82_FR_45968 82 FR 45779 - Endangered and Threatened Wildlife and Plants; Removing Astragalus desereticus (Deseret Milkvetch) From the Federal List of Endangered and Threatened Plants

82 FR 45779 - Endangered and Threatened Wildlife and Plants; Removing Astragalus desereticus (Deseret Milkvetch) From the Federal List of Endangered and Threatened Plants

DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service

Federal Register Volume 82, Issue 189 (October 2, 2017)

Page Range45779-45793
FR Document2017-21073

The best available scientific and commercial data indicate that threats to Astragalus desereticus (Deseret milkvetch) identified at the time of listing in 1999 are not as significant as originally anticipated and are being adequately managed. Therefore, the species no longer meets the definition of an endangered or threatened species under the Endangered Species Act of 1973, as amended (Act). Consequently, we, the U.S. Fish and Wildlife Service (Service), propose to remove (delist) Astragalus desereticus from the Federal List of Endangered and Threatened Plants (List). This determination is based on a thorough review of all available information, which indicates that this species' population is much greater than was known at the time of listing in 1999 and that threats to this species have been sufficiently minimized. This document also serves as the 12-month finding on a petition to remove this species from the List. We are seeking information, data, and comments from the public on the proposed rule to remove the Astragalus desereticus from the List.

Federal Register, Volume 82 Issue 189 (Monday, October 2, 2017)
[Federal Register Volume 82, Number 189 (Monday, October 2, 2017)]
[Proposed Rules]
[Pages 45779-45793]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-21073]


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DEPARTMENT OF THE INTERIOR

Fish and Wildlife Service

50 CFR Part 17

[Docket No. FWS-R6-ES-2016-0013: FXES11130900000C6-178-FF09E30000]
RIN 1018-BB41


Endangered and Threatened Wildlife and Plants; Removing 
Astragalus desereticus (Deseret Milkvetch) From the Federal List of 
Endangered and Threatened Plants

AGENCY: Fish and Wildlife Service, Interior.

ACTION: Proposed rule and 12-month petition finding; request for 
comments.

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SUMMARY: The best available scientific and commercial data indicate 
that threats to Astragalus desereticus (Deseret milkvetch) identified 
at the time of listing in 1999 are not as significant as originally 
anticipated and are being adequately managed. Therefore, the species no 
longer meets the definition of an endangered or threatened species 
under the Endangered Species Act of 1973, as amended (Act). 
Consequently, we, the U.S. Fish and Wildlife Service (Service), propose 
to remove (delist) Astragalus desereticus from the Federal List of 
Endangered and Threatened Plants (List). This determination is based on 
a thorough review of all available information, which indicates that 
this species' population is much greater than was known at the time of 
listing in 1999 and that threats to this species have been sufficiently 
minimized. This document also serves as the 12-month finding on a 
petition to remove this species from the List. We are seeking 
information, data, and comments from the public on the proposed rule to 
remove the Astragalus desereticus from the List.

DATES: We will accept comments received or postmarked on or before 
December 1, 2017. Comments submitted electronically using the Federal 
eRulemaking Portal (see ADDRESSES below), must be received by 11:59 
p.m. Eastern Time on the closing date. We must receive requests for 
public hearings, in writing, at the address shown in the FOR FURTHER 
INFORMATION CONTACT section by November 16, 2017.

ADDRESSES: You may submit written comments on the proposed rule and the 
draft post-delisting monitoring plan by one of the following methods:
     Electronically: Go to the Federal eRulemaking Portal: 
http://www.regulations.gov. In the Search box, enter Docket No. FWS-R6-
ES-2016-0013, which is the docket number for this rulemaking. Then, 
click on the Search button. On the resulting page, in the Search panel 
on the left side of the screen, under the Document Type heading, click 
on the Proposed Rules link to locate this document. You may submit a 
comment by clicking on the blue ``Comment Now!'' box. If your comments 
will fit in the provided comment box, please use this feature of http://www.regulations.gov, as it is most compatible with our comment review 
procedures. If you attach your comments as a separate document, our 
preferred file format is Microsoft Word. If you attach multiple 
comments (such as form letters), our preferred formation is a 
spreadsheet in Microsoft Excel.
     By hard copy: Submit by U.S. mail or hand-delivery to: 
Public Comments Processing, Attn: FWS-6-ES-2016-0013; U.S. Fish and 
Wildlife Service; MS: BPHC; 5275 Leesburg Pike, Falls Church, VA 22041-
3803.
    We request that you submit written comments only by the methods 
described above. We will post all

[[Page 45780]]

comments on http://www.regulations.gov. This generally means that we 
will post any personal information you provide us (see Public Comments, 
below for more details).
    Document availability: This proposed rule and supporting documents, 
including a copy of the draft post-delisting monitoring plan referenced 
throughout this document, are available on http://www.regulations.gov 
at Docket No. FWS-R6-ES-2016-0013. In addition, the supporting file for 
this proposed rule will be available for public inspection, by 
appointment, during normal business hours at the Utah Ecological 
Services Field Office; 2369 Orton Circle, Suite 50; West Valley City, 
Utah 84119, telephone: 801-975-3330. Persons who use a 
telecommunications device for the deaf (TDD) may call the Federal Relay 
Service at 800-877-8339.

FOR FURTHER INFORMATION CONTACT: Larry Crist, Field Supervisor, 
telephone: 801-975-3330. Direct all questions or requests for 
additional information to: DESERET MILKVETCH QUESTIONS, U.S. Fish and 
Wildlife Service; Utah Ecological Services Field Office; 2369 Orton 
Circle, Suite 50; West Valley City, Utah 84119. Individuals who are 
hearing-impaired or speech-impaired may call the Federal Relay Service 
at 800-877-8337 for TTY assistance.

SUPPLEMENTARY INFORMATION:

Executive Summary

    Why we need to publish a rule. Under the Act, if a species is 
determined no longer to be threatened or endangered 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. Removing a species from the List can only be 
completed by issuing a rule.
    This document proposes delisting Astragalus desereticus. This 
proposed rule assesses the best available information regarding status 
of and threats to the species.
    The basis for our action. Under the Act, we can determine that a 
species is an endangered or threatened species based on any one or more 
of five factors or the cumulative effects thereof: (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 Astragalus 
desereticus no longer meets the definition of an endangered or 
threatened species under the Act.
    We will seek peer review. We will seek comments from independent 
specialists to ensure that our designation is based on scientifically 
sound data, assumptions, and analyses. We will invite these peer 
reviewers to comment on our listing proposal. Because we will consider 
all comments and information received during the comment period, our 
final determination may differ from this proposal.

Information Requested

Public Comments

    We want any final rule resulting from this proposal to be as 
accurate as possible. Therefore, we invite tribal and governmental 
agencies, the scientific community, industry, and other interested 
parties to submit comments or recommendations concerning any aspect of 
this proposed rule. Comments should be as specific as possible. We 
particularly seek comments concerning:
    (1) Reasons why we should or should not remove Astragalus 
desereticus from the List of Endangered and Threatened Plants (i.e., 
``delist'' the species) under the Act;
    (2) New biological or other relevant data concerning any threat (or 
lack thereof) to this species (for example, those associated with 
climate change);
    (3) New information on any efforts by the State or other entities 
to protect or otherwise conserve the species;
    (4) New information concerning the range, distribution, and 
population size or trends of this species;
    (5) New information on the current or planned activities in the 
habitat or range that may adversely affect or benefit the species; and
    (6) Information pertaining to the requirements for post-delisting 
monitoring of Astragalus desereticus.
    Please include sufficient information with your submission (such as 
scientific journal articles or other publications) to allow us to 
verify any scientific or commercial information you include. Please 
note that submissions merely stating support for or opposition to the 
action under consideration without providing supporting information, 
although noted, may not meet the standard of information required by 
section 4(b)(1)(A) of the Act (16 U.S.C. 1531 et seq.), which directs 
that determinations as to whether any species is an endangered or 
threatened species must be made ``solely on the basis of the best 
scientific and commercial data available.''
    To issue a final rule to implement this proposed action, we will 
take into consideration all comments and any additional information we 
receive. Such communications may lead to a final rule that differs from 
this proposal. All comments, including commenters' names and addresses, 
if provided to us, will become part of the supporting record.
    You may submit your comments and materials concerning the proposed 
rule by one of the methods listed in ADDRESSES. Comments must be 
submitted to http://www.regulations.gov before 11:59 p.m. (Eastern 
Time) on the date specified in DATES. We will not consider hand-
delivered comments that we do not receive, or mailed comments that are 
not postmarked, by the date specified in DATES.
    We will post your entire comment--including your personal 
identifying information--on http://www.regulations.gov. If you provide 
personal identifying information in your comment, you may request at 
the top of your document that we withhold this information from public 
review. However, we cannot guarantee that we will be able to do so.
    Comments and materials we receive, as well as supporting 
documentation we used in preparing this proposed rule, will be 
available for public inspection on http://www.regulations.gov, or by 
appointment, during normal business hours at the U.S. Fish and Wildlife 
Service, Utah Ecological Services Field Office (see FOR FURTHER 
INFORMATION CONTACT).

Public Hearing

    Section 4(b)(5)(E) of the Act provides for one or more public 
hearings on this proposed rule, if requested. We must receive requests 
for public hearings, in writing, at the address shown in FOR FURTHER 
INFORMATION CONTACT by the date shown in DATES. We will schedule public 
hearings on this proposal, if any are requested, and places of those 
hearings, as well as how to obtain reasonable accommodations, in the 
Federal Register at least 15 days before the first hearing.

Peer Review

    In accordance with our policy, ``Notice of Interagency Cooperative 
Policy for Peer Review in Endangered Species Act Activities,'' which 
was published on July 1, 1994 (59 FR 34270), we will seek the expert 
opinion of at least three appropriate and independent specialists 
regarding scientific data and interpretations contained in this 
proposed rule. We will send copies of this proposed rule to the peer 
reviewers immediately following publication in the Federal Register. We

[[Page 45781]]

will ensure that the opinions of peer reviewers are objective and 
unbiased by following the guidelines set forth in the Director's Memo, 
which updates and clarifies Service policy on peer review (U.S. Fish 
and Wildlife Service 2016). The purpose of such review is to ensure 
that our decisions are based on scientifically sound data, assumptions, 
and analysis. Accordingly, our final decision may differ from this 
proposal.

Previous Federal Actions

    In 1975, the Smithsonian Institution prepared a report on plants 
considered to be endangered, threatened, or extinct. On July 1, 1975, 
we published a notice in the Federal Register accepting the Smithsonian 
report as a petition to list those taxa named, including Astragalus 
desereticus (40 FR 27823). On June 16, 1976, we published a proposed 
rule to designate approximately 1,700 vascular plants, including 
Astragalus desereticus, as endangered pursuant to section 4 of the Act 
(41 FR 24523). On December 10, 1979, we published a notice of 
withdrawal for species that had not had a final rule published, 
including Astragalus desereticus (44 FR 70796). On December 15, 1980, 
we published a revised notice of review for native plants designating 
Astragalus desereticus as a category 1 candidate species (taxa for 
which we had sufficient information to support preparation of listing 
proposals); Astragalus desereticus was also identified as a species 
that may have recently become extinct (45 FR 82480). In 1981, a 
population of Astragalus desereticus was re-discovered. On November 28, 
1983, we published a revised notice of review in which Astragalus 
desereticus was included as a category 2 candidate species for which 
additional information on distribution and abundance was needed (48 FR 
53640). That designation was maintained in two subsequent notices of 
review (50 FR 39526, September 27, 1985, and 55 FR 6184, February 21, 
1990). Following additional surveys, the species was reclassified as a 
category 1 candidate on September 30, 1993 (58 FR 51144). On February 
28, 1996, we ceased using category designations and included Astragalus 
desereticus as a candidate species (61 FR 7596). A final rule listing 
Astragalus desereticus as threatened published in the Federal Register 
on October 20, 1999 (64 FR 56590); the rule was effective November 19, 
1999. The final listing rule included a determination that the 
designation of critical habitat for Astragalus desereticus was not 
prudent.
    On July 5, 2005, the Center for Native Ecosystems, Forest 
Guardians, and the Utah Native Plant Society filed a complaint in the 
U.S. District Court for the District of Columbia challenging our 
October 20, 1999, determination that designating critical habitat was 
not prudent due to the lack of benefit to Astragalus desereticus 
(Center for Native Ecosystems, Forest Guardians, and Utah Native Plant 
Society v. Gale Norton (05-CV-01336-RCL)). In response to a stipulated 
settlement agreement, on January 25, 2007, we published an advanced 
notice of proposed rulemaking stating that designating critical habitat 
would not be beneficial to the species and recommending removal of the 
species from the List of Endangered and Threatened Plants because 
threats to the species identified in the final listing rule were not as 
significant as earlier believed and were managed such that the species 
was not likely to become in danger of extinction throughout all or a 
significant portion of its range in the foreseeable future (72 FR 
3379).
    In 2011, we completed a 5-year review of the species to evaluate 
its status and determined that threats to the species either were not 
as significant as we had anticipated or had failed to develop; 
consequently, we recommended delisting (U.S. Fish and Wildlife Service 
2011, entire). On October 6, 2015, we received a petition (Western Area 
Power Administration 2015) to delist the species based on our 2007 
recommendation to remove the species from the List of Endangered and 
Threatened Plants and supported by additional surveys and by 
recommendations to delist in our 2011 5-year review for the species (72 
FR 3379, January 25, 2007; U.S. Fish and Wildlife Service 2011, p. 22). 
On March 16, 2016, we published a notice of petition findings and 
initiation of status reviews for 29 species, including Astragalus 
desereticus, which found that the petition presented substantial 
information indicating that delisting may be warranted (81 FR 14058). 
This proposed rule presents our conclusions from a status review of the 
species and serves as the 12-month finding on the petition to delist 
the species.

Species Description and Habitat Information

    Astragalus desereticus was first collected in 1893, again in 1909, 
then not located again until 1981 (Barneby 1989, p. 126; Franklin 1990, 
p. 2). The gap in collections may be due to confusion regarding initial 
records, which were wrongly attributed to Sanpete County, Utah 
(Franklin 1990, p. 2). The 1964 description and classification of 
Astragalus desereticus by Barneby is the accepted taxonomic status 
(Barneby 1989, p. 126; ITIS 2015).
    Astragalus desereticus is a perennial, herbaceous plant in the 
legume family with silvery-gray pubescent leaves that are 2-5 inches 
(in) (4-12 centimeters (cm)) long and flower petals that are white to 
pinkish with lilac-colored tips (Barneby 1989, p. 126). The flower 
structure indicates an adaptation to pollination primarily by large 
bees, likely bumblebees (Bombus spp.), which are generalist pollinators 
(Stone 1992, p. 4). The species appears to be tolerant of drought 
(Stone 1992, p. 3). A more detailed description of the biology and life 
history of Astragalus desereticus can be found in our 5-year review of 
the species (U.S. Fish and Wildlife Service 2011, pp. 5-7).
    Astragalus desereticus is endemic to Utah County in central Utah, 
with the only known population near the town of Birdseye (Stone 1992, 
p. 2). It occurs exclusively on sandy-gravelly soils weathered from the 
Moroni geological formation, which is limited to an area of 
approximately 100 square miles (mi\2\) (259 square kilometers (km\2\)) 
(Franklin 1990, p. 4; Stone 1992, p. 3). The species is known to occur 
at elevations of 5,400-5,700 feet (ft) (1,646-1,737 meters (m)) (Stone 
1992, p. 2; Anderson 2016, pers. comm.; Fitts 2016, pers. comm.). Based 
upon the species' narrow habitat requirements it has likely always been 
rare, with minimal additional potential habitat (Franklin 1990, p. 6; 
Stone 1992, p. 6).
    Astragalus desereticus is typically is found on steep south- and 
west-facing slopes with scattered Colorado pinyon pine (Pinus edulis) 
and Utah juniper (Juniperus osteosperma) (Franklin 1990, p. 2). It also 
can grow well on west-facing road-cuts where plants are typically 
larger than those found in undisturbed habitat (Franklin 1990, p. 2). 
The species' habitat is typically sparsely vegetated (SWCA 
Environmental Consultants 2015, p. 7). The species is an apparent 
associate of the pinyon-juniper plant community; it is not shade-
tolerant, but is found in open areas between trees where the geologic 
substrate is most likely the habitat feature to which these plants 
respond (Goodrich et al. 1999, p. 265).
    Astragalus desereticus is probably a relatively new species on the 
scale of geologic time that has always occurred in a restricted habitat 
(a localized neoendemic) based on the ability of the genus to colonize 
disturbed or unstable habitats in dry climates. This ability has likely 
hastened evolution of the genus and given rise to many species of 
Astragalus that are sharply differentiated and geographically

[[Page 45782]]

restricted (Stone 1992, p. 6). Astragalus desereticus appears to 
tolerate at least some disturbance, such as that caused by road 
maintenance activities (Franklin 1990, p. 2; Fitts and Fitts 2009, p. 
5).

Species Abundance, Distribution, and Trends

    In 1990, surveys for Astragalus desereticus estimated fewer than 
5,000 plants in a single population (Franklin 1990, p. 3). A subsequent 
visit to the same site in 1992 estimated more than 10,000 plants, 
indicating that a large seed bank likely exists (Stone 1992, p. 7). 
Consequently, at the time of listing we estimated a total population of 
5,000-10,000 plants (64 FR 56591, October 20, 1999).
    A combination of survey and census was conducted by the Utah 
Natural Heritage Program in 2008 to visit unsurveyed, suitable habitat 
and to provide a total population estimate for the species (Fitts 2008, 
p. 1). The surveyors found new plant sites (hereafter referred to as a 
colony) to the north and west of the previously known population. Due 
to higher plant numbers than expected, only small colonies and one 
large colony were censused; plant numbers at the remaining large 
colonies were estimated based on a partial census of 20 percent of the 
site. The total population estimate was 152,229 plants--including 
seedlings, juveniles, and adults (Fitts and Fitts 2009, p. 4). It was 
also noted that the number of plants counted in the original area 
surveyed in 1990 was greater in 2008 than numbers counted previously 
(Fitts and Fitts 2009, p. 4). In 2009, surveys were expanded and the 
updated total population estimate was 197,277-211,915 juvenile and 
adult plants (Fitts and Fitts 2010, p. 6). More plants likely occurred 
on private land with exposed Moroni Formation outcrops, but the land 
owner did not give permission to survey (Fitts and Fitts 2010, p. 7). 
These surveys may have overestimated the species' population using the 
partial census method due to extrapolation from earlier hand-drawn 
colony boundaries; the small number of transects; and the inclusion of 
seedlings, which have a high rate of mortality (U.S. Fish and Wildlife 
Service 2011, p. 10). If only adults were counted, the population 
estimate was 86,775-98,818 plants (U.S. Fish and Wildlife Service 2011, 
p. 10). In 2016, surveys were conducted; those data are still being 
analyzed. However, we expect to have the 2016 survey results included 
in the final delisting determination.
    At the time of listing, we estimated the occupied habitat of 
Astragalus desereticus to include approximately 300 acres (ac) (122 
hectares (ha)) in an area 1.6 mi (2.6 km) x 0.3 mi (0.5 km) (64 FR 
56591, October 20, 1999). The most recent occupied habitat estimate is 
approximately 345 ac (140 ha) in an area 2.8 mi (4.5 km) x 0.3 mi (0.5 
km) (Fitts and Fitts 2010, p. 6; SWCA Environmental Consultants 2015, 
p. 2). The species remains known from one population (Birdseye) of 
scattered colonies on the Moroni formation soils near Birdseye, Utah 
(U.S. Fish and Wildlife Service 2011, p. 8).
    The limited number of surveys and censuses completed for Astragalus 
desereticus, as well as differences in the size of area investigated, 
prevent a detailed assessment of population trends. However, the 
available information indicates a larger population since at least 1990 
when the first surveys were conducted.

Land Ownership

    An estimated 230 ac (93 ha) (67 percent) of the 345 ac (140 ha) of 
total habitat for Astragalus desereticus are in the Birdseye Unit of 
the Northwest Manti Wildlife Management Area owned by the Utah Division 
of Wildlife Resources (UDWR); the Utah Division of Transportation 
(UDOT) owns 25 ac (10 ha) (7 percent); and 90 ac (36 ha) (26 percent) 
are privately owned (UDWR et al. 2006, p. 4). Utah School and 
Institutional Trust Lands Administration (SITLA) owns most of the 
mineral rights in the species' habitat (UDWR et al. 2006, p. 7). 
Surveys in 1990 and 2016 did not locate the species on Federal lands 
(Franklin 1990, pp. 3-4; Anderson 2016, pers. comm.).

Conservation Efforts

    A recovery plan for Astragalus desereticus was not prepared; 
therefore, specific delisting criteria were not developed for the 
species. However, in 2005, we invited agencies with management or 
ownership authorities within the species' habitat to serve on a team to 
develop an interagency conservation agreement for Astragalus 
desereticus intended to facilitate a coordinated conservation effort 
between the agencies (UDWR et al. 2006, entire). The Conservation 
Agreement for Deseret milkvetch (Astragalus desereticus) (Conservation 
Agreement) was signed and approved by UDWR, UDOT, SITLA, and the 
Service in 2006 and will remain in effect for 30 years. The 
Conservation Agreement provides guidance to stakeholders to address 
threats and establish goals to ensure long-term survival of the species 
(UDWR et al. 2006, p. 7). Conservation actions contained in the 
Conservation Agreement (in italics), efforts to accomplish these 
actions, and their current status are described below.
     Maintain species' habitat within the Wildlife Management 
Area in its natural state, restricting habitat disturbance: This action 
is successful and ongoing. UDWR acquired the Birdseye Unit of the 
Northwest Manti Wildlife Management Area in 1967; prior to this 
acquisition, livestock grazing occurred for more than 50 years in the 
vicinity (UDWR et al. 2006, p. 6). Since acquisition, livestock grazing 
has been used on a limited basis as a management tool by UDWR; however, 
Astragalus desereticus occupied habitat is not suitable for grazing, 
and impacts to the species have been negligible (UDWR et al. 2006, p. 
7). This habitat has not been grazed by livestock since 2002 (U.S. Fish 
and Wildlife 2011, p. 17). Future grazing within occupied habitat is 
unlikely due to the steep terrain (Howard 2016, pers. comm.). A draft 
wildlife management plan completed by UDWR proposes closing some 
unauthorized unpaved roads within the Wildlife Management Area, which 
likely would further benefit the species by reducing habitat 
fragmentation (as plants reestablish themselves) and reducing future 
access to the population (Howard 2016, pers. comm.). We anticipate that 
the plan will be finalized within the next year (Howard 2017 pers. 
comm.). Because this plan is currently only in draft, we do not rely on 
it in this proposal to delist the species. However, it provides an 
indication of future management intentions of UDWR. Removal of juniper 
may occur as a habitat improvement for grazing, but not within habitat 
occupied by the species to avoid plant damage and mortality associated 
with this surface-disturbing activity (Howard 2016, pers. comm.). The 
steep terrain associated with Astragalus desereticus habitat makes 
grazing, juniper removal, and other land-disturbing activities 
associated with livestock grazing unlikely.
     Retain species' habitat within the Wildlife Management 
Area under management of UDWR: This action is successful and ongoing. 
The UDWR continues to manage species' habitat within the Wildlife 
Management Area in its natural state, with minimal disturbance, as 
stipulated in the Conservation Agreement (Howard 2016, pers. comm.).
     Evaluate feasibility of acquiring conservation easements 
or fee title purchases on small private land parcels between U.S. 
Highway 89 and the existing Wildlife Management Area as resources and 
willing sellers become available: No easements or property

[[Page 45783]]

have been acquired, and we do not rely on this conservation action in 
our proposal to delist the species. However, UDWR has a statewide 
initiative to acquire additional lands, so future acquisition may be 
possible (Howard 2016, pers. comm.).
     Avoid using herbicides in species' habitat managed by 
UDOT: This action is successful and ongoing. The UDOT does not use 
herbicides in species' habitat within highway rights-of-way, and has 
committed to continuing this action as stipulated in the Conservation 
Agreement (Kisen 2016, pers. comm.).
     Avoid disturbing plants during highway maintenance and 
construction carried out by UDOT: This action is successful and 
ongoing. The UDOT has not disturbed the species during highway 
maintenance and construction, and no highway widening projects are 
anticipated through at least 2040, which is as far as their planning 
extends (Kisen 2016, pers. comm.).
     Service will monitor populations on an annual basis as 
needed: This action is successful and ongoing. Surveys were conducted 
in May 2016 by Utah Natural Heritage Program personnel, and they are 
currently analyzing the data.
     UDWR and the Service will continue discussions on the 
development and review of management plans and habitat restoration that 
may affect species' habitat on the Wildlife Management Area: This 
action is successful and ongoing. The Service's Utah Field Office is 
actively engaged with UDWR in the development and review of actions 
that may affect the species, and meets periodically to implement the 
protections identified in the Conservation Agreement.
    In summary, most of the conservation actions described in the 
Conservation Agreement have been successfully achieved and are part of 
an ongoing management strategy for conserving Astragalus desereticus. 
Potential threats from residential development, livestock grazing, and 
highway maintenance and widening are addressed by conservation actions 
on approximately 74 percent of all occupied habitat owned and managed 
by either UDWR or UDOT. Conservation measures initiated under the 
Conservation Agreement will continue through at least 2036.
    As described above, we have new information for Astragalus 
desereticus since our listing decision and the species' status has 
improved. This improvement is likely due to expanded surveys as well as 
the amelioration of threats and an improved understanding of the 
stressors affecting the species (see five-factor discussion in the 
following section). In addition to the conservation actions identified 
in the Conservation Agreement, new opportunities for conservation of 
the species may be used in the future. For example, a new power line 
proposed near the species' habitat will use the same corridor as an 
existing transmission line (see Factor A).
    Survey results from 2009 (the most recent estimate), determined 
that the total population estimate was 197,277-211,915 juvenile and 
adult plants occurring on approximately 345 ac (140 ha) of habitat, 
which is a significant increase compared to estimates of 5,000-10,000 
plants occurring on approximately 300 ac (122 ha) at the time of 
listing. We anticipate that the 2016 survey results will confirm that 
the population remains stable. The majority of the species' occupied 
habitat (74 percent) is managed by UDWR and UDOT, and we have no 
information that indicates the species faces significant threats on 
private lands. Active participation on conservation actions specified 
in the Conservation Agreement has fluctuated due to funding and 
staffing since it was established in 2006 (U.S. Fish and Wildlife 
Service 2011, p. 4). However, all of the associated conservation 
actions for UDWR and UDOT managed habitat have been successfully 
implemented, with the exception of acquiring conservation easements. 
Additionally, as described below, threats identified at the time of 
listing in 1999 are not as significant as originally anticipated (U.S. 
Fish and Wildlife Service 2011, p. 21).

Summary of Factors Affecting the Species

    Section 4 of the Act and its implementing regulations (50 CFR part 
424) set forth the procedures for listing species, reclassifying 
species, or removing species from listed status. ``Species'' is defined 
by the Act as including any species or subspecies of fish or wildlife 
or plants, and any distinct vertebrate population segment of fish or 
wildlife that interbreeds when mature (16 U.S.C. 1532(16)). A species 
may be determined to be an endangered or threatened species due to one 
or more of the five factors described in section 4(a)(1) of the Act: 
(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 
must consider these same five factors in delisting a species. For 
species that are already listed as endangered or threatened, this 
analysis of threats is an evaluation of both the threats currently 
facing the species and the threats that are reasonably likely to affect 
the species in the foreseeable future following the removal of the 
Act's protections. We may delist a species according to 50 CFR 
424.11(d) if the best available scientific and commercial data indicate 
that the species is neither endangered nor threatened for the following 
reasons: (1) The species is extinct; (2) the species has recovered and 
is no longer endangered or threatened; and/or (3) the original 
scientific data used at the time the species was classified were in 
error.
    Astragalus desereticus is currently listed as threatened. Section 
3(20) of 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'' (16 
U.S.C. 1532). We consider ``foreseeable future'' as that period of time 
within which a reliable prediction can be reasonably relied upon in 
making a determination about the future conservation status of a 
species, as described in the Solicitor's opinion dated January 16, 
2009. We consider 20 years to be a reasonable period of time within 
which reliable predictions can be made for the species. This time 
period includes multiple generations of the species, coincides with the 
duration of the Conservation Agreement, and falls within the planning 
period used by UDOT. We consider 20 years a conservative timeframe in 
view of the much longer term protections in place for 67 percent of the 
species' occupied habitat occurring within the UDWR Wildlife Management 
Area.
    A recovered species has had threats removed or reduced to the point 
that it no longer meets the Act's definition of threatened or 
endangered. A species is an ``endangered species'' for purposes of the 
Act if it is in danger of extinction throughout all or a significant 
portion of its range and is a ``threatened species'' if it is likely to 
become endangered within the foreseeable future throughout all or a 
significant portion of its range. For the purposes of this analysis, we 
will evaluate whether or not the currently listed species, Astragalus 
desereticus, should continue to be listed as a threatened species, 
based on the best scientific and commercial information available.
    In considering what factors might constitute threats, we must look 
beyond the exposure of the species to a particular factor to evaluate 
whether the species may respond to the factor in a way that causes 
actual impacts to the

[[Page 45784]]

species. If there is exposure to a factor and the species responds 
negatively, the factor may be a threat, and during the five-factor 
threats analysis, we attempt to determine how significant a threat it 
is. The threat is significant if it drives or contributes to the risk 
of extinction of the species such that the species warrants listing as 
endangered or threatened as those terms are defined by the Act. 
However, the identification of factors that could affect a species 
negatively may not be sufficient to justify a finding that the species 
warrants listing. The information must include evidence sufficient to 
suggest that the potential threat is likely to materialize and that it 
has the capacity (sufficient magnitude and extent) to affect the 
species' status such that it meets the definition of endangered or 
threatened under the Act. This determination does not necessarily 
require empirical proof of a threat. The combination of exposure and 
some corroborating evidence of how the species is likely impacted could 
suffice. The mere identification of factors that could impact a species 
negatively is not sufficient to compel a finding that listing is 
appropriate; we require evidence that these factors are operative 
threats that act on the species to the point that the species meets the 
definition of an endangered species or threatened species under the 
Act. The following analysis examines the five factors currently 
affecting Astragalus desereticus, or that are likely to affect it 
within the foreseeable future.

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

    Factor A requires the Service to consider present or threatened 
destruction, modification, or curtailment of Astragalus desereticus 
habitat or range. The species is found in three different land use 
zones, as categorized by Utah County Land Use Ordinance (Jorgensen 
2016b, pers. comm.; Utah County 2016, Chapter 5). Approximately 74.6 
percent of the species' habitat occurs in Critical Environment Zone 1, 
which has the primary purpose of supporting water resources for 
culinary use, irrigation, recreation, natural vegetation, and wildlife. 
Approximately 16.7 percent occurs in Residential Agricultural Zone 5, 
which has the primary purpose of preserving agricultural lands. The 
remaining 8.6 percent occurs in Critical Environment Zone 2, which has 
the primary purpose of preserving fragile environmental uses (Jorgensen 
2016b, pers. comm.). These zones do not strictly regulate management 
and land use and, therefore, are not discussed under Factor D; however, 
the Ordinance prioritizes uses and provides management guidance for all 
lands in Utah County, unless specifically exempted (Utah County 2016, 
Chapter 5). All of the conservation actions in place for the species 
meet the guidelines under their respective land use zone, and we are 
not aware of any occupied habitat specifically exempted from the 
guidance described for the aforementioned land use zones.
    The following potential stressors were identified for this species 
at the time of listing: (1) Residential development, (2) highway 
maintenance and widening, and (3) livestock grazing and trampling. 
During the current status review we also considered: (4) mineral 
development, (5) transmission lines, and (6) climate change. Each of 
these stressors are assessed below.
Residential Development
    In our final rule listing Astragalus desereticus, substantial human 
population growth and urban expansion were predicted in the Provo, 
Spanish Fork, and Weber River drainages east of the Wasatch Mountains. 
Increased residential development was considered a threat to the 
species due to the potential for loss of plants and habitat that 
results from construction of roads, buildings, and associated 
infrastructure (e.g., utilities) (64 FR 56591, October 20, 1999). 
However, counter to the predictions of the Quality Growth Efficiency 
Tools Technical Committee cited in our final listing rule, residential 
development in these areas has been very limited since listing. Despite 
the recent construction of a house and a barn adjacent to Astragalus 
desereticus occupied habitat (Fitts 2016, pers. comm.), all other 
nearby development that has already occurred or is planned for the 
future is located several miles from the species' habitat as described 
in the following paragraph.
    The nearest community, Birdseye, is unincorporated and has not been 
included in recent U.S. Census Bureau surveys; therefore, no recent 
population estimates are available. We are aware of only three proposed 
development properties in this area. One property has potential for 95 
lots and is 2.8 mi (4.5 km) from known occupied habitat. The other two 
developments would be single dwelling properties approximately 4 mi (6 
km) and 5 mi (8 km) from known occupied habitat (Larsen 2016, pers. 
comm.; Jorgensen 2016a, pers. comm.). These three proposed developments 
are located near Thistle Creek, upstream from Astragalus desereticus 
habitat (Jorgensen 2016a, pers. comm.). However, the species' habitat 
occurs on steep upland slopes that are not vulnerable to potential 
impacts from changes in downstream flows. Residential development at 
this scale and distance from Astragalus desereticus population is not 
likely to impact the species or its habitat now or within the 
foreseeable future.
    The majority of Astragalus desereticus habitat occurs on steep, 
rocky, erosive slopes that are not favorable for development; 
consequently, we do not anticipate any future residential development 
in the species' occupied habitat (Fitts 2016, pers. comm.). 
Additionally, as previously noted, approximately 230 ac (93 ha)--67 
percent of total habitat for the species--are in a Wildlife Management 
Area owned by the UDWR that is protected from residential development 
as described under Factor D.
    We conclude, based on the available information, that residential 
development is not a threat to Astragalus desereticus currently or 
within the foreseeable future due to: (1) The minimal disturbance from 
residential development that has occurred on the species' habitat to 
date and is anticipated to be minimal in the future; (2) the steep, 
rocky, erosive nature of the species' habitat, which precludes most 
development; and (3) the amount of habitat (67 percent) that is 
protected from residential development.
Highway Widening and Maintenance
    In our final rule listing Astragalus desereticus, potential 
widening of Highway 89 was considered a threat to plants growing in the 
highway right-of-way (64 FR 56592, October 20, 1999). Highway widening 
would result in the loss of plants and habitat directly adjacent to 
Highway 89. Regular highway maintenance activities include herbicide 
use to control weeds that could result in the loss of plants within the 
right-of-way and adjacent habitat. Additionally, road improvement 
projects may generate dust that can affect nearby plants. However, 
widening of Highway 89 has not occurred and is not anticipated by UDOT 
through at least 2040, which is as far as planning extends (Kisen 2016, 
pers. comm.).
    The nearest highway development project is a modification of the 
intersection of Highway 89 and Highway 6 planned for 2017 (Kisen 2016, 
pers. comm.). This project will take place approximately 7 mi (11 km) 
north of Birdseye and 4 mi (6 km) north of the nearest occurrence of 
the species. Therefore, we do not anticipate any direct or indirect 
impacts to the species.

[[Page 45785]]

No other projects are currently planned within 20 mi (32 km) of 
Birdseye (Kisen 2016, pers. comm.).
    Road maintenance is ongoing; however, as committed to in the 
Conservation Agreement, UDOT avoids herbicide use and other disturbance 
in the species' habitat (Lewinsohn 2016, pers. comm.; UDWR et al. 2006, 
p. 9). In instances where herbicides must be used, UDOT will not apply 
by aerial application within 500 ft (152.5 m) of occupied habitat and 
will maintain a 100-ft (30-m) buffer for hand application of herbicides 
around individual plants (UDWR et al. 2006, p. 9). The species appears 
to tolerate some levels of disturbance related to road maintenance 
because it recolonizes areas that have been disturbed by tracked 
vehicles, road grading equipment, and road cuts (Franklin 1990, p. 2; 
Fitts and Fitts 2009, p. 5; SWCA 2015, p. 7).
    In summary, highway widening and maintenance can destroy habitat 
and fragment populations, but based upon information provided by UDOT, 
impacts from these activities are not projected to occur across the 
range of Astragalus desereticus within the foreseeable future. We are 
not aware of planned road-widening construction projects in or near the 
species' habitat, and UDOT has committed to avoiding herbicide use and 
other disturbance in occupied Astragalus desereticus habitat during 
maintenance activities (Lewinsohn 2016, pers. comm.; UDWR et al. p. 9). 
Therefore, based on the available information, we conclude that highway 
widening and maintenance is not a threat to Astragalus desereticus 
currently or within the foreseeable future.
Livestock Grazing and Trampling
    In our final rule listing Astragalus desereticus, livestock grazing 
and trampling were considered threats to the species because of direct 
consumption of plants, trampling of plants and the burrows of ground-
dwelling pollinators, and soil erosion (64 FR 56591, October 20, 1999). 
In contrast to many species of Astragalus, this species apparently is 
not toxic to livestock, and is palatable and may be consumed (Stone 
1992, p. 6; Tilley et al. 2010, p. 1).
    Prior to UDWR acquiring the Northwest Manti Wildlife Management 
Area in 1967, livestock grazing occurred for more than 50 years on 
habitat occupied by Astragalus desereticus, and may explain why 
attempts to locate the species were unsuccessful for decades (UDWR et 
al. 2006, p. 6). Once UDWR acquired the land, they chained (removed 
scrub growth) and seeded level land upslope of the species' habitat to 
improve grazing for wild ungulates and livestock; impacts from grazing 
in the form of trails and trampling were noted at the southern end of 
Astragalus desereticus habitat (Franklin 1990, p. 4, U.S. Fish and 
Wildlife 2011, p. 16). However, cattle tended to concentrate upslope of 
the species' habitat in the chained and seeded area where forage 
production was higher, and by 1992, there were no signs of recent 
grazing in the species' habitat (Stone 1992, p. 8). The last cattle 
grazing on the Wildlife Management Unit occurred in 2002 (U.S. Fish and 
Wildlife 2011, p. 17).
    The UDWR does not currently allow livestock grazing on the Birdseye 
Unit of the Wildlife Management Area, and does not plan for any future 
grazing within the portion of the Wildlife Management Area that 
contains Astragalus desereticus habitat (Howard 2016, pers. comm.). 
Avoidance of livestock grazing in species' habitat that is managed by 
UDWR is stipulated in the Conservation Agreement (UDWR et al. 2006, p. 
8). Additionally, the species' habitat is not well-suited to grazing 
due to sparse forage and steep slopes. Some private lands where the 
species occurs allow livestock grazing; however, when last visited, 
there was no evidence of impacts to the species (U.S. Fish and Wildlife 
2011, p. 17).
    In summary, livestock grazing and trampling were considered a 
threat to Astragalus desereticus in our final listing rule because 
grazing occurred historically over much of the species' habitat and we 
were concerned about trampling and erosion impacts to the species from 
livestock use, especially in light of the small population size known 
at the time. However, changes in land ownership and management due to 
establishment of the Birdseye Unit of the Northwest Manti Wildlife 
Management Area reduced the level of livestock use within 67 percent of 
the species habitat managed now by UDWR. Permitted cattle grazing on 
the Wildlife Management Area ceased in 2002, and UDWR remains committed 
to avoiding impacts within the species' habitat (Howard 2016, pers. 
comm.). Additionally, occupied habitat on both private and protected 
lands is steep and rocky, with sparse forage. Consequently, minimal 
grazing impacts have been documented. We conclude, based on the 
available information, that livestock grazing and trampling are not a 
threat to Astragalus desereticus currently or within the foreseeable 
future.
Mineral Development
    Impacts from mineral development were not considered in the final 
rule to list Astragalus desereticus (64 FR 56590, October 20, 1999). At 
the time the Conservation Agreement was signed there was no information 
indicating that mineral development was going to occur (UDWR et al. 
2006, p. 7). SITLA owns the mineral rights on most of the land occupied 
by Astragalus desereticus, and the agency has not had any inquiries 
regarding mineral development in the species' habitat since the 
Conservation Agreement was signed (UDWR et al. 2006, p. 7; Wallace 
2016, pers. comm.). In the Conservation Agreement, which will remain in 
effect through 2036, SITLA agreed to alert any energy and mineral 
developers to the presence of occupied habitat and recommend surface 
use stipulations that avoid disturbance and provide mitigation for 
unavoidable effects to plants or their habitat (UDWR et al. 2006, p. 
8). However, there is a low potential for mineral development in the 
area; consequently, no future development is anticipated (Wallace 2017, 
pers. comm.).
    In summary, developers have not expressed any interest in mineral 
development within the range of Astragalus desereticus. Additionally, 
there is a low potential for mineral development in the area; 
consequently, no future development is anticipated (Wallace 2017, pers. 
comm.). Therefore, based on the available information, we conclude that 
mineral development is not a threat to Astragalus desereticus currently 
or within the foreseeable future.
Transmission Lines
    Impacts from transmission lines were not considered in the final 
rule to list the species (64 FR 56590, October 20, 1999). The Mona to 
Bonanza high-voltage transmission line is an existing power line near 
Astragalus desereticus habitat located at the easternmost extent of the 
known range of the species (Miller 2016, pers. comm.). A new power line 
proposed in the area is the TransWest Express transmission line. This 
proposed transmission line would use the same corridor as the existing 
Mona to Bonanza transmission line (SWCA Environmental Consultants 2015, 
p. 1). TransWest Express estimated that approximately 10.9 ac (4.4 ha) 
of potential or occupied habitat for the species occurs within 300 ft 
(91 m) of proposed transmission structures, and approximately 0.25 ac 
(0.10 ha) would be directly disturbed (SWCA Environmental Consultants 
2015, p. 17). This estimate included some habitat above 6,000 ft (1,829 
m) that was likely misidentified as occupied habitat (Fitts 2016, pers. 
comm.). Therefore, actual

[[Page 45786]]

disturbance estimates may be slightly less than 0.25 ac (0.10 ha). We 
estimate that up to one percent of the species' total population could 
be impacted if no measures to minimize impacts were taken (U.S. Fish 
and Wildlife Service 2016, p. 29). However, minimal impacts are 
expected to result from the transmission line installation because dust 
abatement measures would be implemented, the proposed route is located 
farther away from Astragalus desereticus populations than the existing 
Mona to Bonanza transmission line, and existing access roads would be 
used within the species' habitat (U.S. Fish and Wildlife Service 2016, 
pp. 25-31). Consequently, impacts from the proposed TransWest Express 
transmission line are not anticipated to result in a population-level 
effect to the species based upon the localized extent of impacts and 
the currently robust status of the species (see Species Abundance, 
Distribution, and Trends). In addition, the species is able to tolerate 
some levels of disturbance, and plants have recolonized disturbed areas 
(Fitts and Fitts 2009, p. 5; Franklin 1990, p. 2).
    In summary, Astragalus desereticus maintains a large, robust 
population next to the existing Mona to Bonanza transmission line, and 
only a very minimal amount of habitat (less than 0.25 ac (0.10 ha)) 
would be disturbed by the proposed future construction of the TransWest 
transmission line. We conclude, based on the available information, 
that transmission lines are not a threat to Astragalus desereticus 
currently or within the foreseeable future.
Climate Change
    Impacts from climate change were not considered in the final rule 
to list the species (64 FR 56590, October 20, 1999). Our current 
analyses under the Act include consideration of ongoing and projected 
changes in climate. The terms ``climate'' and ``climate change'' are 
defined by the Intergovernmental Panel on Climate Change (IPCC). 
``Climate'' refers to the mean and variability of different types of 
weather conditions over time, with 30 years being a typical period for 
such measurements, although shorter or longer periods also may be used 
(IPCC 2007, p. 78). The term ``climate change'' thus refers to a change 
in the mean or variability of one or more measures of climate (e.g., 
temperature or precipitation) that persists for an extended period, 
typically decades or longer, whether the change is due to natural 
variability, human activity, or both (IPCC 2007, p. 78). Various types 
of changes in climate can have direct or indirect effects on species. 
These effects may be positive, neutral, or negative and they may change 
over time, depending on the species and other relevant considerations, 
such as the effects of interactions of climate with other variables 
(e.g., habitat fragmentation) (IPCC 2007, pp. 8-14, 18-19). In our 
analyses, we use our expert judgment to weigh relevant information, 
including uncertainty, in our consideration of various aspects of 
climate change.
    The current rate of a decade-long drought in the southwestern 
United States is one per century (Ault et al. 2013, p. 7538). This 
equates to a 50 percent chance over a 50 year interval. Estimates 
regarding the risk of future persistent droughts in the southwestern 
United States over the time period from 2050 to 2100 increase to 50-90 
percent over the 50 year interval (Ault et al. 2013, pp. 7541-7547). In 
other words, the likelihood of future drought in the southwestern 
United States is stable to increasing when compared to current 
conditions. Climate models that predict future temperatures over three 
different time periods in the 21st century for the southwestern United 
States show the greatest warming in summer months (3.5-6.5 degrees 
Fahrenheit ([deg]F)) (1.9-3.6 degrees Celsius ([deg]C)), with a 
localized maximum increase in temperatures in central Utah (Kunkel et 
al. 2013, p. 72). Nationwide, Utah ranks eighth in rate of warming 
since 1912, with a 0.233[emsp14][deg]F (0.129 [deg]C) increase per 
decade; and seventh in rate of warming since 1970, with a 
0.588[emsp14][deg]F (0.327 [deg]C) increase per decade (Tebaldi et al. 
2012, pp. 3 and 5). We do not have information regarding the increased 
likelihood of drought or temperature increases at the more detailed 
scale of the range of Astragalus desereticus--a range that encompasses 
only a portion of one county in central Utah. Therefore, more site 
specific predictions are not possible.
    The Astragalus genus has the ability to colonize disturbed or 
unstable habitats in progressively dry climates and thus appears to be 
adapted to drought (Stone 1992, p. 6). Generally plant numbers decrease 
during drought years and recover in subsequent seasons that are less 
dry. For example, many plants of Astragalus desereticus appeared to 
die-off in response to the 2012 drought, but have since repopulated the 
area from the seed bank (Fitts 2016, pers. comm.). Astragalus 
desereticus and other species in the bean family typically have 
persistent seed banks with at least some proportion of the seed bank 
being long-lived because the seeds are physically dormant for long 
periods of time (Dodge 2009, p. 3; Orscheg and Enright 2011, p. 186; 
Segura et al. 2014, p. 75). Dormant seeds have a seed coat that imposes 
a physical barrier between water and the embryo, and this type of 
dormancy provides an ecological advantage by staggering germination 
over a long period of time, protecting the embryo from microbial 
attack, and increasing the longevity of seeds within the soil 
(Fulbright 1987, p. 40). Species with physically dormant seeds 
typically have seeds germinating over many years, which increases the 
probability of the species' persistence in an unpredictable environment 
and has been termed a ``bet-hedging strategy'' (Simons 2009, pp. 1990-
1991; Williams and Elliott 1960, pp. 740-742). This strategy buffers a 
population against catastrophic losses and negative effects from 
environmental variation (Tielb[ouml]rger et al. 2014, p. 4). Astragalus 
desereticus can be dormant and not detectable for some years, but later 
detected in the same area given favorable precipitation conditions 
(Fitts 2016, pers. comm.). This pattern provides some evidence the 
species has a persistent seed bank and possibly other life stages that 
remain dormant during drought conditions. As a result, multiple years 
of surveys may be necessary to determine if Astragalus desereticus is 
present within suitable habitat.
    Astragalus desereticus appears well-adapted to a dry climate and 
can quickly colonize after disturbance. Plants growing in high-stress 
landscapes (e.g., poor soils and variable moisture) are generally 
adapted to stress and thus may experience lower mortality during severe 
droughts (Gitlin et al. 2006, pp. 1477 and 1484). Furthermore, plants 
and plant communities of arid and semi-arid systems may be less 
vulnerable to the effects of climate change if future climate 
conditions are within the historic natural climatic variation 
experienced by the species (Tielb[ouml]rger et al. 2014, p. 7). The 
species likely has experienced multiple periods of prolonged drought 
conditions in the past as documented from reconstructed pollen records 
in sagebrush steppe lands (Mensing et al. 2007, pp. 8-10). Natural 
climatic variation in the Southwest for the last 500 years included 
periodic major droughts (Kunkle et al. 2013, p. 14). Therefore, it is 
likely that the species will be able to withstand future periods of 
prolonged drought.
    In summary, climate change is affecting and will continue to affect 
temperature and precipitation events. We expect that Astragalus 
desereticus, like other narrow endemics, could experience future 
climate change-

[[Page 45787]]

related drought. However, current data are not sufficiently reliable at 
the local level to predict the scope of effects of future climate 
change-related drought. The information we do have indicates the 
species and the genus are adapted to drought and are able to re-
colonize disturbed areas. Therefore, based upon available information, 
we conclude that climate change is not a threat to Astragalus 
desereticus currently or within the foreseeable future.
Summary of Factor A
    The following stressors warranted consideration as possible current 
or future threats to Astragalus desereticus under Factor A: (1) 
Residential development, (2) highway maintenance and widening, (3) 
livestock grazing and trampling, (4) mineral development, (5) 
transmission lines, and (6) climate change. However, these stressors 
either have not occurred to the extent anticipated at the time of 
listing, are being adequately managed, or the species is tolerant of 
the stressor as described below.
     Minimal disturbance from residential development has 
occurred on the species' habitat to date and is anticipated in the 
future because of the steep, rocky, erosive nature of the species' 
habitat. In addition, 67 percent of the species' habitat is protected 
from residential development due to its inclusion in a State wildlife 
management area.
     No highway widening is anticipated by UDOT in occupied 
habitat, and herbicide use and other disturbances are avoided in 
habitat for the species.
     The steep, rocky nature of the species' habitat and sparse 
forage minimize livestock grazing, and 67 percent of all habitat is 
carefully managed by UDWR to restrict it from grazing.
     The lack of inquiries and low potential regarding mineral 
development indicate that mineral development is not a threat.
     The existing transmission line is not a threat to the 
species, and activity associated with the proposed transmission line 
occurring within the species' occupied habitat will be confined to 
existing access roads.
     The species and its genus are likely adapted to drought 
related to climate change.
     The species appears able to readily re-colonize disturbed 
areas.
    Therefore, based on the available information, we do not consider 
there to be any threats now, nor are there likely to be any threats in 
the future, related to the present or threatened destruction, 
modification, or curtailment of habitat or range of Astragalus 
desereticus.

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

    Factor B requires the Service to consider overutilization of 
Astragalus desereticus for commercial, recreational, scientific, or 
educational purposes. Overutilization for any purpose was not 
considered a threat in the final rule to list the species (64 FR 56593, 
October 20, 1999). The only collections of the species that we are 
aware of were for scientific purposes. An unknown number of seeds were 
collected in 2007 and approximately 850 seeds were collected from 45 
plants in 2008. In addition, 1,016 seeds were collected from 55 plants 
in 2009 for germination trials and long-term seed storage at Red Butte 
Gardens and Arboretum in Salt Lake City, Utah, and the National Center 
for Genetic Resources Preservation in Fort Collins, Colorado (Dodge 
2009, p. 4). This amount of collection is insignificant given the 
current population estimates for the species, and overall it is 
beneficial because it will improve our understanding of species 
propagation and ensure genetic preservation. We are not aware of any 
other utilization of the species. Therefore, based on the available 
information, we do not consider there to be any threats now, nor are 
there likely to be any threats in the future, related to 
overutilization for commercial, recreational, scientific, or 
educational purposes of Astragalus desereticus.

C. Disease or Predation

    Factor C requires the Service to consider impacts to Astragalus 
desereticus from disease and predation. Disease and predation were not 
considered threats in the final rule to list the species (64 FR 56593, 
October 20, 1999). We are not aware of any issues or potential 
stressors regarding disease or insect predation. As described in more 
detail under Factor A, grazing--which could be considered a form of 
predation--is limited in the species' habitat and it does not affect 
the species throughout its range or at a population level. Therefore, 
based on the available information, we do not consider there to be any 
threats now, nor are there likely to be any threats in the future, 
related to disease or predation of Astragalus desereticus.

D. The Inadequacy of Existing Regulatory Mechanisms

    Under this factor, we examine whether existing regulatory 
mechanisms are inadequate to address the threats to Astragalus 
desereticus discussed under other factors. Section 4(b)(1)(A) of the 
Act requires the Service to take into account ``those efforts, if any, 
being made by any State or foreign nation, or any political subdivision 
of a State or foreign nation, to protect such species.'' In relation to 
Factor D under the Act, we interpret this language to require us to 
consider relevant Federal, State, and Tribal laws, regulations, and 
other such mechanisms that may minimize any of the threats we describe 
in the threats analyses under the other four factors, or otherwise 
enhance conservation of the species. We give strongest weight to 
statutes and their implementing regulations and to management direction 
that stems from those laws and regulations; an example would be State 
governmental actions enforced under a State statute or constitution, or 
Federal action under statute.
    For currently listed species that are being considered for 
delisting, we consider the adequacy of existing regulatory mechanisms 
to address threats to the species absent the protections of the Act. We 
examine whether other regulatory mechanisms would remain in place if 
the species were delisted, and the extent to which those mechanisms 
will continue to help ensure that future threats will be reduced or 
minimized.
    In our discussion under Factors A, B, C, and E, we evaluate the 
significance of threats as mitigated by any conservation efforts and 
existing regulatory mechanisms. Where threats exist, we analyze the 
extent to which conservation measures and existing regulatory 
mechanisms address the specific threats to the species. Regulatory 
mechanisms may reduce or eliminate the impacts from one or more 
identified threats.
    As previously discussed, conservation measures initiated by UDWR, 
SITLA, and UDOT under the Conservation Agreement manage potential 
threats caused by residential development, highway maintenance and 
widening, and livestock grazing and trampling, as well as the more 
recently identified proposed transmission line. In addition to these 
conservation measures, relevant Utah State statutes and UDWR 
administrative rules that will remain in effect regardless of the 
species' status under the Act include:
    1. Title 23--Wildlife Resources Code of Utah, Chapter 21--Lands and 
Waters for Wildlife Purposes, Section 5--State-owned lands authorized 
for use as wildlife management areas, fishing waters, and for other 
recreational activities. This statute authorizes the creation, 
operation, maintenance, and

[[Page 45788]]

management of wildlife management areas including the Birdseye Unit of 
the Northwest Manti Wildlife Management Area. The Birdseye Unit 
contains 67 percent of all known habitat occupied by Astragalus 
desereticus. Consequently, two-thirds of all known habitat is currently 
managed and will continue to be managed as wildlife habitat regardless 
of the species' status under the Act.
    2. UDWR Administrative Rule R657-28--Use of Division Lands. This 
administrative rule describes the lawful uses and activities on UDWR 
lands including Birdseye Unit of the Northwest Manti Wildlife 
Management Area. These uses cannot conflict with the intended land use 
or be detrimental to wildlife or wildlife habitat. This administrative 
rule provides further support to beneficial management on the 67 
percent of occupied habitat managed by UDWR, regardless of the species' 
status under the Act.
    We are not aware of any Astragalus desereticus occupied habitat on 
Federal lands. We anticipate that the conservation measures initiated 
by UDWR, SITLA, and UDOT under the Conservation Agreement will continue 
through at least 2036. Consequently, we find that conservation measures 
along with existing State regulatory mechanisms are adequate to address 
these specific stressors absent protections under the Act.

E. Other Natural or Manmade Factors Affecting Its Continued Existence

    Factor E requires the Service to consider any other factors that 
may be affecting Astragalus desereticus. Under this factor, we discuss: 
(1) Rarity, (2) stochastic events, and (3) cumulative effects.
Rarity
    In our final rule listing Astragalus desereticus, small population 
size was considered a concern for the species because of the potential 
for low levels of genetic diversity as compared to other more 
widespread related species (64 FR 56593, October 20, 1999). A species 
may be considered rare due to: (1) a Limited geographic range, (2) 
occupation of specialized habitats, or (3) small population numbers 
(Primack 1998, p. 176). This species meets each of these 
qualifications.
    Astragalus desereticus is likely a localized neoendemic, that is, 
it is a relatively new species on the scale of geologic time and likely 
has always been geographically restricted (rare) (Stone 1992, p. 6). A 
species that has always been rare, yet continues to survive, could be 
well-equipped to continue to exist into the future. Many naturally rare 
species exhibit traits that allow them to persist for long periods 
within small geographic areas, despite their small population size. 
Consequently, the fact that a species is rare does not necessarily 
indicate that it may be endangered or threatened. Rarity alone, in the 
absence of other stressors, is not a threat. Despite the species' 
unique habitat characteristics and limited range, its current 
population numbers and preliminary demographic analyses show that its 
known population (via information at monitored sites) is much larger 
than in 1990 when the first surveys were conducted and will likely be 
sustained due to the species' resiliency and the absence of significant 
stressors. Additionally, as noted under Factor B, seeds have been 
collected for long-term seed storage at Red Butte Gardens and Arboretum 
in Salt Lake City, Utah, and the National Center for Genetic Resources 
Preservation in Fort Collins, Colorado (Dodge 2009, p. 4). This 
collection provides added security for the species.
Stochastic Events
    In our final rule listing Astragalus desereticus, stochastic 
events--particularly fire, drought, and disease--were considered a 
threat because of the species' small population size and highly 
restricted range (64 FR 56593, October 20, 1999). Because rare species 
may be vulnerable to single event occurrences, it is important to have 
information on how likely it is such an event may occur and how it may 
affect the species. Demographic stochasticity--random events in 
survival and reproductive success--and genetic stochasticity--from 
inbreeding and changes in gene frequency--are not significant threats 
based on limited abundance trends and the known population size of the 
species (Stone 1992, pp. 8-10). The same author noted that 
environmental stochasticity--such as fire, drought, and disease--may be 
a threat to the species (Stone 1992, p. 10). However, we have since 
concluded that fire is unlikely in the open, sparsely wooded habitat 
that the species favors (72 FR 3379, January 25, 2007; U.S. Fish and 
Wildlife 2011, p. 21). As noted in the discussion of climate change 
under Factor A, the species appears to be drought tolerant, showing an 
ability to rebound following drought and re-colonize disturbed areas in 
progressively dry climates. Lastly, as noted under Factor C, there is 
no evidence of disease or insect pests. Since listing, survey data has 
shown the species' known range is somewhat larger and its population 
numbers are much higher than previously thought, which indicates a 
tolerance to stochastic events. These increases are likely due to a 
combination of expanded surveys and increases in population.
Summary of Factor E
    Given the lack of threats within the Astragalus desereticus 
population and the robust population size, we conclude that rarity and 
stochastic events are not threats now, nor are they likely to be 
threats in the future, to Astragalus desereticus.
Cumulative Effects
    Many of the stressors discussed in this analysis could work in 
concert with each other resulting in a cumulative adverse effect to 
Astragalus desereticus, e.g., one stressor may make the species more 
vulnerable to other threats. For example, stressors discussed under 
Factor A that individually do not rise to the level of a threat could 
together result in habitat loss. Similarly, small population size in 
combination with stressors discussed under Factor A could present a 
potential concern. However, most of the potential stressors we 
identified either have not occurred to the extent originally 
anticipated at the time of listing in 1999 or are adequately managed as 
described in this proposal to delist the species. Furthermore, those 
stressors that are evident, such as drought and rarity, appear well-
tolerated by the species. In addition, we do not anticipate stressors 
to increase on UDWR lands that afford protections to the species on 67 
percent of occupied habitat for the reasons discussed in this delisting 
proposal. Furthermore, the increases documented in the abundance and 
distribution of the species since it was listed do not support a 
conclusion that cumulative effects threaten the species.

Proposed Determination of Species Status

Introduction

    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

[[Page 45789]]

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. Sally Jewel, 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 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 DPS under ESA Section 3(16)--
meets the definition of ``endangered species'' or ``threatened 
species,'' the species must be listed in its entirety and the Act's 
protections applied consistently to all members of that species 
(subject to modification of protections through special rules under 
sections 4(d) and 10(j) of the Act). See Defenders, 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, April 2, 2009) was 
unreasonable because the ESA 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, February 5, 2008) was unreasonable because the Service 
``cannot determine that anything other than a species, as defined by 
the ESA, 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 phrase 
``significant portion of its range'' (SPR) 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 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

[[Page 45790]]

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.

Astragalus Desereticus--Determination of Status Throughout All of Its 
Range

    We conducted a review of the status of Astragalus desereticus and 
assessed the five factors to evaluate whether Astragalus desereticus is 
in danger of extinction, or likely to become so in the foreseeable 
future, throughout all of its range. We also consulted with species 
experts and land management staff with UDWR and UDOT who are actively 
managing for the conservation of the species. We carefully assessed the 
best scientific and commercial information available regarding the 
past, present, and future threats to the species. We considered all of 
the stressors identified at the time of listing as well as newly 
identified potential stressors such as mineral development, 
transmission lines, and climate change. As previously described, the 
stressors considered in our five-factor analysis fall into one or more 
of the following categories:
     Stressors including residential development, highway 
widening, and livestock grazing and trampling have not occurred to the 
extent anticipated at the time of listing, and existing information 
indicates that the extent of impact will not change in the future.
     Stressors including highway maintenance, livestock 
grazing, transmission lines, and mineral development are adequately 
managed through the Conservation Agreement and measures described in 
the Biological Opinion for the TransWest Express Transmission Line 
Project, and existing information indicates that this management will 
not change in the future.
     The species is tolerant of stressors including climate 
change, transmission lines, rarity, stochastic events, and cumulative 
effects, and existing information indicates that this tolerance will 
not change in the future.
    These conclusions are supported by the available information 
regarding species abundance, distribution, and trends and are in 
agreement with information presented in our advanced notice of proposed 
rulemaking (72 FR 3379, January 25, 2007) and in our 5-year review 
(U.S. Fish and Wildlife Service 2011). Thus, after assessing the best 
available information, we conclude that Astragalus desereticus is not 
in danger of extinction throughout all of its range, nor is it likely 
to become so in the foreseeable future.

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 Astragalus desereticus 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 species 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 have an increased vulnerability to 
threats to the point that the overall species would be in danger of 
extinction or likely to become 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

[[Page 45791]]

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 current species 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 species is imperiled in a portion that rises 
to that higher level of biological significance, then we should 
conclude that the species is in fact imperiled throughout all of its 
range, and that 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 that portion were 
hypothetically completely extirpated. In other words, the portion of 
the range need not be so important that being merely in danger of 
extinction in that portion or likely to become so would be 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. 
Sally Jewel found that this definition of ``significant'' does not give 
sufficient independent meaning to the SPR phrase. However, the court's 
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 effect on the remainder of the 
species was. By contrast, this definition of significance uses a 
hypothetical test of loss of 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 
causes the species to be in danger of extinction throughout all of its 
range or likely to become so in the foreseeable future.
    The second misunderstanding was the court's characterization of the 
listing determination for the African coelacanth as an indication the 
Services 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 
distinct population segment (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. 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 throughout its 
range is not in danger of extinction or likely to become so in the 
foreseeable future 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 that may be both (1) 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 in that identified SPR is 
in danger of extinction or likely to become so in the foreseeable 
future. 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

[[Page 45792]]

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, 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. Thus, if we 
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 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.''

Astragalus desereticus--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) the 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 that 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. If the threats to the species are affecting it uniformly 
throughout its range, no portion is likely to have a greater risk of 
extinction, and thus would not warrant further consideration. Moreover, 
if any concentration of threats apply only to portions of the range 
that clearly do not meet the biologically based definition of 
``significant'' (i.e., the loss of that portion clearly would not be 
expected to increase the vulnerability to extinction of the entire 
species), those portions will not warrant further consideration.
    We evaluated the range of Astragalus desereticus to determine if 
any area could be considered a significant portion of its range. As 
mentioned above, one way to identify portions for further analyses is 
to identify portions that might be of biological or conservation 
importance, such as any natural, biological divisions within the range 
that may, for example, provide population redundancy or have unique 
ecological, genetic, or other characteristics. Based on the small range 
of the species--approximately 345 ac (140 ha) in an area 2.8 mi (4.5 
km) x 0.3 mi (0.5 km)--we determined that the species is a single, 
contiguous population and that there are no separate areas of the range 
that are significantly different from others or that are likely to be 
of greater biological or conservation importance than any other areas 
due to natural biological reasons alone. Therefore, there is not 
substantial information that logical, biological divisions exist within 
the species' range.
    After determining there are no natural biological divisions 
delineating separate portions of the Astragalus desereticus population, 
we next examined whether any threats are geographically concentrated in 
some way that would indicate the species could be in danger of 
extinction, or likely to become so, in that area. There is some 
difference in livestock grazing between State and private lands, with 
little or no grazing on the 67 percent of habitat occurring on State 
lands and occasional potential grazing on the remaining private lands. 
However, steep topography limits grazing everywhere, and there are not 
fences separating State and private lands (U.S. Fish and Wildlife 
Service 2011, p. 17). We have reviewed other potential threats and 
conclude that none of them are concentrated in any portion of the 
species' range so as to affect the representation, redundancy, or 
resiliency of the species.
    We did not identify any portions where Astragalus desereticus may 
be in danger of extinction or likely to become so in the foreseeable 
future. Therefore, no portions 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. We conclude that the species is, therefore, not an endangered 
species or threatened species based on its status in a significant 
portion of its range.

Astragalus desereticus--Determination of Status

    We have carefully assessed the best scientific and commercial 
information available regarding the past, present, and future threats 
to Astragalus desereticus. Because the species is not in danger of 
extinction now or in the foreseeable future throughout all of its range 
or any significant portion of its range, the species does not meet the 
definition of an endangered species or threatened species.

Effects of the Rule

    This proposal, if made final, would revise 50 CFR 17.12(h) to 
remove Astragalus desereticus from the Federal List of Endangered and 
Threatened Plants. The prohibitions and conservation measures provided 
by the Act, particularly through sections 7 and 9, would no longer 
apply to this species. Federal agencies would no longer be required to 
consult with the Service under section 7 of the Act in the event that 
activities they authorize, fund, or carry out may affect Astragalus 
desereticus. There is no critical habitat designated for this species.

Post-Delisting Monitoring

    Section 4(g)(1) of the Act requires us, in cooperation with the 
States, to implement a monitoring program for not less than 5 years for 
all species that have been delisted due to recovery. The purpose of 
this requirement is to develop a program that detects the failure of 
any delisted species to sustain itself without the protective measures 
provided by the Act. If, at any time during the monitoring period, data 
indicate that protective status under the Act should be reinstated, we 
can initiate listing procedures, including, if appropriate, emergency 
listing.
    We are proposing delisting for Astragalus desereticus based on new 
information we have received as well as recovery actions taken. Since 
delisting will be due in part to recovery, we have prepared a draft 
post-delisting monitoring (PDM) plan for Astragalus desereticus. The 
PDM plan was prepared in coordination with the Utah Department of 
Natural Resources (UDNR) and UDWR. Monitoring will be a joint effort 
between UDNR and the Service. The PDM plan discusses the current status 
of the species and describes the methods proposed for monitoring if the 
species is removed from the Federal List of Endangered and Threatened 
Plants. Monitoring will occur annually for at least 5 years. Given the 
uncertainty of potential effects from climate change-related drought, 
we have developed three possible scenarios for PDM as follows. At the 
end of 5 years, the species' population status will be evaluated, with 
three possible outcomes: (1) If the population is stable or increasing 
with no new or increasing stressors, PDM will conclude; (2) if the 
population is decreasing, but may be correlated with precipitation 
levels and remains above 20,000 plants on the Wildlife Management Area, 
PDM will be extended for an additional 3-5 years and then the 
population status will be reevaluated; or (3) if the population is 
decreasing without correlation to precipitation levels and there are 
fewer than 20,000 plants on the Wildlife Management Area, a formal 
status review will be initiated. The reasoning behind the second and 
third options ties back to our conclusion that current information 
indicates the species and

[[Page 45793]]

genus are adapted to drought and are able to re-colonize disturbed 
areas. Therefore, if the population numbers are decreasing but may be 
fluctuating due to decreased rainfall or drought, additional monitoring 
may show that the population bounces back during the extended 
monitoring period allowed for in scenario two. However, if the 
population is decreasing beyond what might occur as a result of 
drought, a formal status review would be immediately initiated as 
described in scenario three.
    It is our intent to work with our partners towards maintaining the 
recovered status of Astragalus desereticus. We seek public and peer 
review comments on the draft PDM plan, including its objectives and 
procedures (see Public Comments, above), with the publication of this 
proposed rule.

Required Determinations

Clarity of the Rule

    Executive Order 12866 requires agencies to write regulations that 
are easy to understand. We invite your comments on how to make this 
proposal easier to understand including answers to questions such as 
the following: (1) Is the discussion in the SUPPLEMENTARY INFORMATION 
section of the preamble helpful to your understanding of the proposal? 
(2) Does the proposal contain technical language or jargon that 
interferes with its clarity? (3) Does the format of the proposal 
(groupings and order of sections, use of headings, paragraphing, etc.) 
aid or reduce its clarity? What else could we do to make the proposal 
easier to understand? Send a copy of any comments on how we could make 
this rule easier to understand to: Office of Regulatory Affairs, 
Department of the Interior, Room 7229, 1849 C Street NW., Washington, 
DC 20240. You may also email the comments to this address: 
[email protected].

National Environmental Policy Act

    We have determined that environmental assessments and environmental 
impact statements, as defined under the authority of the National 
Environmental Policy Act of 1969 (42 U.S.C. 4321 et seq.), need not be 
prepared in connection with regulations pursuant to section 4(a) of the 
Act. We published a notice outlining our reasons for this determination 
in the Federal Register on October 25, 1983 (48 FR 49244).

Government-to-Government Relationship With Tribes

    In accordance with the President's memorandum of April 29, 1994, 
Government-to-Government Relations with Native American Tribal 
Governments (59 FR 22951), E.O. 13175, and the Department of the 
Interior's manual at 512 DM 2, we readily acknowledge our 
responsibility to communicate meaningfully with recognized Federal 
Tribes on a government-to-government basis. In accordance with 
Secretarial Order 3206 of June 5, 1997 (American Indian Tribal Rights, 
Federal-Tribal Trust Responsibilities, and the Endangered Species Act), 
we readily acknowledge our responsibilities to work directly with 
Tribes in developing programs for healthy ecosystems, to acknowledge 
that tribal lands are not subject to the same controls as Federal 
public lands, to remain sensitive to Indian culture, and to make 
information available to Tribes. We have determined that no Tribes will 
be affected by this rule because there are no tribal lands within or 
adjacent to Astragalus desereticus habitat.

References Cited

    A complete list of all references cited in this proposed rule is 
available at http://www.regulations.gov at Docket No. FWS-R6-ES-2016-
0013, or upon request from the Utah Ecological Services Field Office 
(see ADDRESSES).

Authors

    The primary authors of this proposed rule are staff members of the 
Service's Mountain Prairie Region and the Utah Ecological Services 
Field Office (see ADDRESSES and FOR FURTHER INFORMATION CONTACT).

List of Subjects in 50 CFR Part 17

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

Proposed Regulation Promulgation

    Accordingly, we hereby propose to amend part 17, subchapter B of 
chapter I, title 50 of the Code of Federal Regulations, as set forth 
below:

PART 17--ENDANGERED AND THREATENED WILDLIFE AND PLANTS

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

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


Sec.  17.12  [Amended]

0
2. Section 17.12(h) is amended by removing the entry for ``Astragalus 
desereticus'' under ``FLOWERING PLANTS'' from the List of Endangered 
and Threatened Plants.

    Dated: September 7, 2017.
James W. Kurth,
Acting Director, U.S. Fish and Wildlife Service.
[FR Doc. 2017-21073 Filed 9-29-17; 8:45 am]
 BILLING CODE 4333-15-P



                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                          45779

                                                  after the issuance of a notice of                          (iii) If a single meeting includes                 threatened species under the
                                                  proposed rulemaking and until 20 days                   presentations from multiple parties,                  Endangered Species Act of 1973, as
                                                  before the deadline for reply comments                  counsel, or persons, a single summary                 amended (Act). Consequently, we, the
                                                  set forth in the notice of proposed                     may be submitted so long as all                       U.S. Fish and Wildlife Service (Service),
                                                  rulemaking, unless otherwise specified                  presenters agree to the form and content              propose to remove (delist) Astragalus
                                                  by the Board in procedural orders                       of the summary.                                       desereticus from the Federal List of
                                                  governing the proceeding. The Board                        (iv) If a memorandum, including any                Endangered and Threatened Plants
                                                  may delegate its participation in such ex               attachments, contains information that                (List). This determination is based on a
                                                  parte communications to Board staff. All                the presenter asserts is confidential, the            thorough review of all available
                                                  such ex parte communications must be                    presenter must submit a public version                information, which indicates that this
                                                  disclosed in accordance with paragraph                  and a confidential version of the                     species’ population is much greater than
                                                  (g)(4) of this section. Any person who                  memorandum. If there is no existing                   was known at the time of listing in 1999
                                                  engages in such ex parte                                protective order governing the                        and that threats to this species have
                                                  communications must comply with any                     proceeding, the presenter must, at the                been sufficiently minimized. This
                                                  schedule and additional instructions                    same time the presenter submits its                   document also serves as the 12-month
                                                  provided by the Board in the                            public and redacted memoranda, file a                 finding on a petition to remove this
                                                  proceeding. Communications that do                      request with the Board seeking such an                species from the List. We are seeking
                                                  not comply with this section or with the                order pursuant to § 1104.14 of this                   information, data, and comments from
                                                  schedule and instructions established in                chapter.                                              the public on the proposed rule to
                                                  the proceeding are not permitted and                       (v) Memoranda must be submitted to                 remove the Astragalus desereticus from
                                                  are subject to the procedures and                       the Board in the manner prescribed no                 the List.
                                                  sanctions in paragraphs (e) and (f) of                  later than two business days after the ex             DATES: We will accept comments
                                                  this section.                                           parte communication.                                  received or postmarked on or before
                                                     (2) To schedule ex parte meetings                       (vi) Ex parte memoranda submitted                  December 1, 2017. Comments submitted
                                                  permitted under paragraph (g)(1) of this                under this section will be posted on the              electronically using the Federal
                                                  section, parties should contact the                     Board’s Web site in the docket for the                eRulemaking Portal (see ADDRESSES
                                                  Board’s Office of Public Assistance,                    informal rulemaking proceeding within                 below), must be received by 11:59 p.m.
                                                  Governmental Affairs, and Compliance                    seven days of submission. If a presenter              Eastern Time on the closing date. We
                                                  or the Board Member office with whom                    has requested confidential treatment for              must receive requests for public
                                                  the meeting is requested, unless                        all or part of a memorandum, only the                 hearings, in writing, at the address
                                                  otherwise specified by the Board.                       public version will appear on the                     shown in the FOR FURTHER INFORMATION
                                                     (3) Parties seeking to present                       Board’s Web site. Persons seeking access              CONTACT section by November 16, 2017.
                                                  confidential information during an ex                   to the confidential version must do so                ADDRESSES: You may submit written
                                                  parte communication must inform the                     pursuant to the protective order                      comments on the proposed rule and the
                                                  Board of the confidentiality of the                     governing the proceeding.                             draft post-delisting monitoring plan by
                                                  information at the time of the                          [FR Doc. 2017–21093 Filed 9–29–17; 8:45 am]           one of the following methods:
                                                  presentation and must comply with the                   BILLING CODE 4915–01–P                                   • Electronically: Go to the Federal
                                                  disclosure requirements in paragraph                                                                          eRulemaking Portal: http://
                                                  (g)(4)(iv) of this section.                                                                                   www.regulations.gov. In the Search box,
                                                     (4) The following disclosure                         DEPARTMENT OF THE INTERIOR                            enter Docket No. FWS–R6–ES–2016–
                                                  requirements apply to ex parte                                                                                0013, which is the docket number for
                                                  communications permitted under                          Fish and Wildlife Service                             this rulemaking. Then, click on the
                                                  paragraph (g)(1) of this section:                                                                             Search button. On the resulting page, in
                                                     (i) Any person who engages in ex                     50 CFR Part 17                                        the Search panel on the left side of the
                                                  parte communications in an informal                     [Docket No. FWS–R6–ES–2016–0013:                      screen, under the Document Type
                                                  rulemaking proceeding shall submit to                   FXES11130900000C6–178–FF09E30000]                     heading, click on the Proposed Rules
                                                  the Board Member office or delegated                                                                          link to locate this document. You may
                                                  Board staff with whom the meeting was                   RIN 1018–BB41                                         submit a comment by clicking on the
                                                  held a memorandum that states the date                                                                        blue ‘‘Comment Now!’’ box. If your
                                                  and location of the communication; lists                Endangered and Threatened Wildlife
                                                                                                          and Plants; Removing Astragalus                       comments will fit in the provided
                                                  the names and titles of all persons who                                                                       comment box, please use this feature of
                                                  attended (including via phone or video)                 desereticus (Deseret Milkvetch) From
                                                                                                          the Federal List of Endangered and                    http://www.regulations.gov, as it is most
                                                  or otherwise participated in the meeting                                                                      compatible with our comment review
                                                  during which the ex parte                               Threatened Plants
                                                                                                                                                                procedures. If you attach your
                                                  communication occurred; and                             AGENCY:   Fish and Wildlife Service,                  comments as a separate document, our
                                                  summarizes the data and arguments                       Interior.                                             preferred file format is Microsoft Word.
                                                  presented during the ex parte                           ACTION: Proposed rule and 12-month                    If you attach multiple comments (such
                                                  communication. Any written or                           petition finding; request for comments.               as form letters), our preferred formation
                                                  electronic material shown or given to                                                                         is a spreadsheet in Microsoft Excel.
                                                  Board Members or Board staff during                     SUMMARY:   The best available scientific                 • By hard copy: Submit by U.S. mail
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                                                  the meeting must be attached to the                     and commercial data indicate that                     or hand-delivery to: Public Comments
                                                  memorandum.                                             threats to Astragalus desereticus                     Processing, Attn: FWS–6–ES–2016–
                                                     (ii) Memoranda must be sufficiently                  (Deseret milkvetch) identified at the                 0013; U.S. Fish and Wildlife Service;
                                                  detailed to describe the substance of the               time of listing in 1999 are not as                    MS: BPHC; 5275 Leesburg Pike, Falls
                                                  presentation. Board Members or Board                    significant as originally anticipated and             Church, VA 22041–3803.
                                                  staff may ask presenters to resubmit                    are being adequately managed.                            We request that you submit written
                                                  memoranda that are not sufficiently                     Therefore, the species no longer meets                comments only by the methods
                                                  detailed.                                               the definition of an endangered or                    described above. We will post all


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                                                  45780                  Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules

                                                  comments on http://                                     desereticus no longer meets the                       consideration all comments and any
                                                  www.regulations.gov. This generally                     definition of an endangered or                        additional information we receive. Such
                                                  means that we will post any personal                    threatened species under the Act.                     communications may lead to a final rule
                                                  information you provide us (see Public                    We will seek peer review. We will seek              that differs from this proposal. All
                                                  Comments, below for more details).                      comments from independent specialists                 comments, including commenters’
                                                    Document availability: This proposed                  to ensure that our designation is based               names and addresses, if provided to us,
                                                  rule and supporting documents,                          on scientifically sound data,                         will become part of the supporting
                                                  including a copy of the draft post-                     assumptions, and analyses. We will                    record.
                                                  delisting monitoring plan referenced                    invite these peer reviewers to comment                  You may submit your comments and
                                                  throughout this document, are available                 on our listing proposal. Because we will              materials concerning the proposed rule
                                                  on http://www.regulations.gov at Docket                 consider all comments and information                 by one of the methods listed in
                                                  No. FWS–R6–ES–2016–0013. In                             received during the comment period,                   ADDRESSES. Comments must be
                                                  addition, the supporting file for this                  our final determination may differ from               submitted to http://www.regulations.gov
                                                  proposed rule will be available for                     this proposal.                                        before 11:59 p.m. (Eastern Time) on the
                                                  public inspection, by appointment,                                                                            date specified in DATES. We will not
                                                                                                          Information Requested
                                                  during normal business hours at the                                                                           consider hand-delivered comments that
                                                  Utah Ecological Services Field Office;                  Public Comments                                       we do not receive, or mailed comments
                                                  2369 Orton Circle, Suite 50; West Valley                   We want any final rule resulting from              that are not postmarked, by the date
                                                  City, Utah 84119, telephone: 801–975–                   this proposal to be as accurate as                    specified in DATES.
                                                  3330. Persons who use a                                 possible. Therefore, we invite tribal and               We will post your entire comment––
                                                  telecommunications device for the deaf                  governmental agencies, the scientific                 including your personal identifying
                                                  (TDD) may call the Federal Relay                        community, industry, and other                        information––on http://
                                                  Service at 800–877–8339.                                interested parties to submit comments                 www.regulations.gov. If you provide
                                                                                                          or recommendations concerning any                     personal identifying information in your
                                                  FOR FURTHER INFORMATION CONTACT:
                                                                                                          aspect of this proposed rule. Comments                comment, you may request at the top of
                                                  Larry Crist, Field Supervisor, telephone:
                                                                                                          should be as specific as possible. We                 your document that we withhold this
                                                  801–975–3330. Direct all questions or
                                                                                                          particularly seek comments concerning:                information from public review.
                                                  requests for additional information to:
                                                                                                             (1) Reasons why we should or should                However, we cannot guarantee that we
                                                  DESERET MILKVETCH QUESTIONS,
                                                                                                          not remove Astragalus desereticus from                will be able to do so.
                                                  U.S. Fish and Wildlife Service; Utah                                                                            Comments and materials we receive,
                                                  Ecological Services Field Office; 2369                  the List of Endangered and Threatened
                                                                                                          Plants (i.e., ‘‘delist’’ the species) under           as well as supporting documentation we
                                                  Orton Circle, Suite 50; West Valley City,                                                                     used in preparing this proposed rule,
                                                  Utah 84119. Individuals who are                         the Act;
                                                                                                             (2) New biological or other relevant               will be available for public inspection
                                                  hearing-impaired or speech-impaired                                                                           on http://www.regulations.gov, or by
                                                  may call the Federal Relay Service at                   data concerning any threat (or lack
                                                                                                          thereof) to this species (for example,                appointment, during normal business
                                                  800–877–8337 for TTY assistance.                                                                              hours at the U.S. Fish and Wildlife
                                                                                                          those associated with climate change);
                                                  SUPPLEMENTARY INFORMATION:                                 (3) New information on any efforts by              Service, Utah Ecological Services Field
                                                  Executive Summary                                       the State or other entities to protect or             Office (see FOR FURTHER INFORMATION
                                                                                                          otherwise conserve the species;                       CONTACT).
                                                     Why we need to publish a rule. Under                    (4) New information concerning the
                                                  the Act, if a species is determined no                                                                        Public Hearing
                                                                                                          range, distribution, and population size
                                                  longer to be threatened or endangered                   or trends of this species;                              Section 4(b)(5)(E) of the Act provides
                                                  throughout all or a significant portion of                 (5) New information on the current or              for one or more public hearings on this
                                                  its range, we are required to promptly                  planned activities in the habitat or range            proposed rule, if requested. We must
                                                  publish a proposal in the Federal                       that may adversely affect or benefit the              receive requests for public hearings, in
                                                  Register and make a determination on                    species; and                                          writing, at the address shown in FOR
                                                  our proposal within 1 year. Removing a                     (6) Information pertaining to the                  FURTHER INFORMATION CONTACT by the
                                                  species from the List can only be                       requirements for post-delisting                       date shown in DATES. We will schedule
                                                  completed by issuing a rule.                            monitoring of Astragalus desereticus.                 public hearings on this proposal, if any
                                                     This document proposes delisting                        Please include sufficient information              are requested, and places of those
                                                  Astragalus desereticus. This proposed                   with your submission (such as scientific              hearings, as well as how to obtain
                                                  rule assesses the best available                        journal articles or other publications) to            reasonable accommodations, in the
                                                  information regarding status of and                     allow us to verify any scientific or                  Federal Register at least 15 days before
                                                  threats to the species.                                 commercial information you include.                   the first hearing.
                                                     The basis for our action. Under the                  Please note that submissions merely
                                                  Act, we can determine that a species is                 stating support for or opposition to the              Peer Review
                                                  an endangered or threatened species                     action under consideration without                       In accordance with our policy,
                                                  based on any one or more of five factors                providing supporting information,                     ‘‘Notice of Interagency Cooperative
                                                  or the cumulative effects thereof: (A)                  although noted, may not meet the                      Policy for Peer Review in Endangered
                                                  The present or threatened destruction,                  standard of information required by                   Species Act Activities,’’ which was
                                                  modification, or curtailment of its                     section 4(b)(1)(A) of the Act (16 U.S.C.              published on July 1, 1994 (59 FR
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                                                  habitat or range; (B) Overutilization for               1531 et seq.), which directs that                     34270), we will seek the expert opinion
                                                  commercial, recreational, scientific, or                determinations as to whether any                      of at least three appropriate and
                                                  educational purposes; (C) Disease or                    species is an endangered or threatened                independent specialists regarding
                                                  predation; (D) The inadequacy of                        species must be made ‘‘solely on the                  scientific data and interpretations
                                                  existing regulatory mechanisms; or (E)                  basis of the best scientific and                      contained in this proposed rule. We will
                                                  Other natural or manmade factors                        commercial data available.’’                          send copies of this proposed rule to the
                                                  affecting its continued existence. We                      To issue a final rule to implement this            peer reviewers immediately following
                                                  have determined that Astragalus                         proposed action, we will take into                    publication in the Federal Register. We


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                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                           45781

                                                  will ensure that the opinions of peer                   Utah Native Plant Society filed a                     by Barneby is the accepted taxonomic
                                                  reviewers are objective and unbiased by                 complaint in the U.S. District Court for              status (Barneby 1989, p. 126; ITIS 2015).
                                                  following the guidelines set forth in the               the District of Columbia challenging our                 Astragalus desereticus is a perennial,
                                                  Director’s Memo, which updates and                      October 20, 1999, determination that                  herbaceous plant in the legume family
                                                  clarifies Service policy on peer review                 designating critical habitat was not                  with silvery-gray pubescent leaves that
                                                  (U.S. Fish and Wildlife Service 2016).                  prudent due to the lack of benefit to                 are 2–5 inches (in) (4–12 centimeters
                                                  The purpose of such review is to ensure                 Astragalus desereticus (Center for                    (cm)) long and flower petals that are
                                                  that our decisions are based on                         Native Ecosystems, Forest Guardians,                  white to pinkish with lilac-colored tips
                                                  scientifically sound data, assumptions,                 and Utah Native Plant Society v. Gale                 (Barneby 1989, p. 126). The flower
                                                  and analysis. Accordingly, our final                    Norton (05–CV–01336–RCL)). In                         structure indicates an adaptation to
                                                  decision may differ from this proposal.                 response to a stipulated settlement                   pollination primarily by large bees,
                                                                                                          agreement, on January 25, 2007, we                    likely bumblebees (Bombus spp.), which
                                                  Previous Federal Actions                                                                                      are generalist pollinators (Stone 1992, p.
                                                                                                          published an advanced notice of
                                                    In 1975, the Smithsonian Institution                  proposed rulemaking stating that                      4). The species appears to be tolerant of
                                                  prepared a report on plants considered                  designating critical habitat would not be             drought (Stone 1992, p. 3). A more
                                                  to be endangered, threatened, or extinct.               beneficial to the species and                         detailed description of the biology and
                                                  On July 1, 1975, we published a notice                  recommending removal of the species                   life history of Astragalus desereticus can
                                                  in the Federal Register accepting the                   from the List of Endangered and                       be found in our 5-year review of the
                                                  Smithsonian report as a petition to list                Threatened Plants because threats to the              species (U.S. Fish and Wildlife Service
                                                  those taxa named, including Astragalus                  species identified in the final listing               2011, pp. 5–7).
                                                  desereticus (40 FR 27823). On June 16,                  rule were not as significant as earlier                  Astragalus desereticus is endemic to
                                                  1976, we published a proposed rule to                   believed and were managed such that                   Utah County in central Utah, with the
                                                  designate approximately 1,700 vascular                  the species was not likely to become in               only known population near the town of
                                                  plants, including Astragalus                            danger of extinction throughout all or a              Birdseye (Stone 1992, p. 2). It occurs
                                                  desereticus, as endangered pursuant to                  significant portion of its range in the               exclusively on sandy-gravelly soils
                                                  section 4 of the Act (41 FR 24523). On                  foreseeable future (72 FR 3379).                      weathered from the Moroni geological
                                                  December 10, 1979, we published a                         In 2011, we completed a 5-year                      formation, which is limited to an area of
                                                  notice of withdrawal for species that                   review of the species to evaluate its                 approximately 100 square miles (mi2)
                                                  had not had a final rule published,                     status and determined that threats to the             (259 square kilometers (km2)) (Franklin
                                                  including Astragalus desereticus (44 FR                 species either were not as significant as             1990, p. 4; Stone 1992, p. 3). The
                                                  70796). On December 15, 1980, we                        we had anticipated or had failed to                   species is known to occur at elevations
                                                  published a revised notice of review for                develop; consequently, we                             of 5,400–5,700 feet (ft) (1,646–1,737
                                                  native plants designating Astragalus                    recommended delisting (U.S. Fish and                  meters (m)) (Stone 1992, p. 2; Anderson
                                                  desereticus as a category 1 candidate                   Wildlife Service 2011, entire). On                    2016, pers. comm.; Fitts 2016, pers.
                                                  species (taxa for which we had                          October 6, 2015, we received a petition               comm.). Based upon the species’ narrow
                                                  sufficient information to support                       (Western Area Power Administration                    habitat requirements it has likely always
                                                  preparation of listing proposals);                      2015) to delist the species based on our              been rare, with minimal additional
                                                  Astragalus desereticus was also                         2007 recommendation to remove the                     potential habitat (Franklin 1990, p. 6;
                                                  identified as a species that may have                   species from the List of Endangered and               Stone 1992, p. 6).
                                                  recently become extinct (45 FR 82480).                  Threatened Plants and supported by                       Astragalus desereticus is typically is
                                                  In 1981, a population of Astragalus                     additional surveys and by                             found on steep south- and west-facing
                                                  desereticus was re-discovered. On                       recommendations to delist in our 2011                 slopes with scattered Colorado pinyon
                                                  November 28, 1983, we published a                       5-year review for the species (72 FR                  pine (Pinus edulis) and Utah juniper
                                                  revised notice of review in which                       3379, January 25, 2007; U.S. Fish and                 (Juniperus osteosperma) (Franklin 1990,
                                                  Astragalus desereticus was included as                  Wildlife Service 2011, p. 22). On March               p. 2). It also can grow well on west-
                                                  a category 2 candidate species for which                16, 2016, we published a notice of                    facing road-cuts where plants are
                                                  additional information on distribution                  petition findings and initiation of status            typically larger than those found in
                                                  and abundance was needed (48 FR                         reviews for 29 species, including                     undisturbed habitat (Franklin 1990, p.
                                                  53640). That designation was                            Astragalus desereticus, which found                   2). The species’ habitat is typically
                                                  maintained in two subsequent notices of                 that the petition presented substantial               sparsely vegetated (SWCA
                                                  review (50 FR 39526, September 27,                      information indicating that delisting                 Environmental Consultants 2015, p. 7).
                                                  1985, and 55 FR 6184, February 21,                      may be warranted (81 FR 14058). This                  The species is an apparent associate of
                                                  1990). Following additional surveys, the                proposed rule presents our conclusions                the pinyon-juniper plant community; it
                                                  species was reclassified as a category 1                from a status review of the species and               is not shade-tolerant, but is found in
                                                  candidate on September 30, 1993 (58 FR                  serves as the 12-month finding on the                 open areas between trees where the
                                                  51144). On February 28, 1996, we                        petition to delist the species.                       geologic substrate is most likely the
                                                  ceased using category designations and                                                                        habitat feature to which these plants
                                                  included Astragalus desereticus as a                    Species Description and Habitat                       respond (Goodrich et al. 1999, p. 265).
                                                  candidate species (61 FR 7596). A final                 Information                                              Astragalus desereticus is probably a
                                                  rule listing Astragalus desereticus as                    Astragalus desereticus was first                    relatively new species on the scale of
                                                  threatened published in the Federal                     collected in 1893, again in 1909, then                geologic time that has always occurred
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                                                  Register on October 20, 1999 (64 FR                     not located again until 1981 (Barneby                 in a restricted habitat (a localized
                                                  56590); the rule was effective November                 1989, p. 126; Franklin 1990, p. 2). The               neoendemic) based on the ability of the
                                                  19, 1999. The final listing rule included               gap in collections may be due to                      genus to colonize disturbed or unstable
                                                  a determination that the designation of                 confusion regarding initial records,                  habitats in dry climates. This ability has
                                                  critical habitat for Astragalus                         which were wrongly attributed to                      likely hastened evolution of the genus
                                                  desereticus was not prudent.                            Sanpete County, Utah (Franklin 1990, p.               and given rise to many species of
                                                    On July 5, 2005, the Center for Native                2). The 1964 description and                          Astragalus that are sharply
                                                  Ecosystems, Forest Guardians, and the                   classification of Astragalus desereticus              differentiated and geographically


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                                                  45782                  Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules

                                                  restricted (Stone 1992, p. 6). Astragalus               desereticus to include approximately                  Agreement (in italics), efforts to
                                                  desereticus appears to tolerate at least                300 acres (ac) (122 hectares (ha)) in an              accomplish these actions, and their
                                                  some disturbance, such as that caused                   area 1.6 mi (2.6 km) × 0.3 mi (0.5 km)                current status are described below.
                                                  by road maintenance activities (Franklin                (64 FR 56591, October 20, 1999). The                     • Maintain species’ habitat within the
                                                  1990, p. 2; Fitts and Fitts 2009, p. 5).                most recent occupied habitat estimate is              Wildlife Management Area in its natural
                                                                                                          approximately 345 ac (140 ha) in an area              state, restricting habitat disturbance:
                                                  Species Abundance, Distribution, and
                                                                                                          2.8 mi (4.5 km) × 0.3 mi (0.5 km) (Fitts              This action is successful and ongoing.
                                                  Trends                                                                                                        UDWR acquired the Birdseye Unit of the
                                                                                                          and Fitts 2010, p. 6; SWCA
                                                    In 1990, surveys for Astragalus                       Environmental Consultants 2015, p. 2).                Northwest Manti Wildlife Management
                                                  desereticus estimated fewer than 5,000                  The species remains known from one                    Area in 1967; prior to this acquisition,
                                                  plants in a single population (Franklin                 population (Birdseye) of scattered                    livestock grazing occurred for more than
                                                  1990, p. 3). A subsequent visit to the                  colonies on the Moroni formation soils                50 years in the vicinity (UDWR et al.
                                                  same site in 1992 estimated more than                   near Birdseye, Utah (U.S. Fish and                    2006, p. 6). Since acquisition, livestock
                                                  10,000 plants, indicating that a large                  Wildlife Service 2011, p. 8).                         grazing has been used on a limited basis
                                                  seed bank likely exists (Stone 1992, p.                    The limited number of surveys and                  as a management tool by UDWR;
                                                  7). Consequently, at the time of listing                censuses completed for Astragalus                     however, Astragalus desereticus
                                                  we estimated a total population of                      desereticus, as well as differences in the            occupied habitat is not suitable for
                                                  5,000–10,000 plants (64 FR 56591,                       size of area investigated, prevent a                  grazing, and impacts to the species have
                                                  October 20, 1999).                                      detailed assessment of population                     been negligible (UDWR et al. 2006, p. 7).
                                                    A combination of survey and census                    trends. However, the available                        This habitat has not been grazed by
                                                  was conducted by the Utah Natural                       information indicates a larger                        livestock since 2002 (U.S. Fish and
                                                  Heritage Program in 2008 to visit                       population since at least 1990 when the               Wildlife 2011, p. 17). Future grazing
                                                  unsurveyed, suitable habitat and to                     first surveys were conducted.                         within occupied habitat is unlikely due
                                                  provide a total population estimate for                                                                       to the steep terrain (Howard 2016, pers.
                                                  the species (Fitts 2008, p. 1). The                     Land Ownership
                                                                                                                                                                comm.). A draft wildlife management
                                                  surveyors found new plant sites                            An estimated 230 ac (93 ha) (67                    plan completed by UDWR proposes
                                                  (hereafter referred to as a colony) to the              percent) of the 345 ac (140 ha) of total              closing some unauthorized unpaved
                                                  north and west of the previously known                  habitat for Astragalus desereticus are in             roads within the Wildlife Management
                                                  population. Due to higher plant                         the Birdseye Unit of the Northwest                    Area, which likely would further benefit
                                                  numbers than expected, only small                       Manti Wildlife Management Area                        the species by reducing habitat
                                                  colonies and one large colony were                      owned by the Utah Division of Wildlife                fragmentation (as plants reestablish
                                                  censused; plant numbers at the                          Resources (UDWR); the Utah Division of                themselves) and reducing future access
                                                  remaining large colonies were estimated                 Transportation (UDOT) owns 25 ac (10                  to the population (Howard 2016, pers.
                                                  based on a partial census of 20 percent                 ha) (7 percent); and 90 ac (36 ha) (26                comm.). We anticipate that the plan will
                                                  of the site. The total population estimate              percent) are privately owned (UDWR et                 be finalized within the next year
                                                  was 152,229 plants––including                           al. 2006, p. 4). Utah School and                      (Howard 2017 pers. comm.). Because
                                                  seedlings, juveniles, and adults (Fitts                 Institutional Trust Lands                             this plan is currently only in draft, we
                                                  and Fitts 2009, p. 4). It was also noted                Administration (SITLA) owns most of                   do not rely on it in this proposal to
                                                  that the number of plants counted in the                the mineral rights in the species’ habitat            delist the species. However, it provides
                                                  original area surveyed in 1990 was                      (UDWR et al. 2006, p. 7). Surveys in                  an indication of future management
                                                  greater in 2008 than numbers counted                    1990 and 2016 did not locate the species              intentions of UDWR. Removal of juniper
                                                  previously (Fitts and Fitts 2009, p. 4). In             on Federal lands (Franklin 1990, pp. 3–               may occur as a habitat improvement for
                                                  2009, surveys were expanded and the                     4; Anderson 2016, pers. comm.).                       grazing, but not within habitat occupied
                                                  updated total population estimate was                                                                         by the species to avoid plant damage
                                                  197,277–211,915 juvenile and adult                      Conservation Efforts
                                                                                                                                                                and mortality associated with this
                                                  plants (Fitts and Fitts 2010, p. 6). More                  A recovery plan for Astragalus                     surface-disturbing activity (Howard
                                                  plants likely occurred on private land                  desereticus was not prepared; therefore,              2016, pers. comm.). The steep terrain
                                                  with exposed Moroni Formation                           specific delisting criteria were not                  associated with Astragalus desereticus
                                                  outcrops, but the land owner did not                    developed for the species. However, in                habitat makes grazing, juniper removal,
                                                  give permission to survey (Fitts and                    2005, we invited agencies with                        and other land-disturbing activities
                                                  Fitts 2010, p. 7). These surveys may                    management or ownership authorities                   associated with livestock grazing
                                                  have overestimated the species’                         within the species’ habitat to serve on               unlikely.
                                                  population using the partial census                     a team to develop an interagency                         • Retain species’ habitat within the
                                                  method due to extrapolation from                        conservation agreement for Astragalus                 Wildlife Management Area under
                                                  earlier hand-drawn colony boundaries;                   desereticus intended to facilitate a                  management of UDWR: This action is
                                                  the small number of transects; and the                  coordinated conservation effort between               successful and ongoing. The UDWR
                                                  inclusion of seedlings, which have a                    the agencies (UDWR et al. 2006, entire).              continues to manage species’ habitat
                                                  high rate of mortality (U.S. Fish and                   The Conservation Agreement for Deseret                within the Wildlife Management Area in
                                                  Wildlife Service 2011, p. 10). If only                  milkvetch (Astragalus desereticus)                    its natural state, with minimal
                                                  adults were counted, the population                     (Conservation Agreement) was signed                   disturbance, as stipulated in the
                                                  estimate was 86,775–98,818 plants (U.S.                 and approved by UDWR, UDOT, SITLA,                    Conservation Agreement (Howard 2016,
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                                                  Fish and Wildlife Service 2011, p. 10).                 and the Service in 2006 and will remain               pers. comm.).
                                                  In 2016, surveys were conducted; those                  in effect for 30 years. The Conservation                 • Evaluate feasibility of acquiring
                                                  data are still being analyzed. However,                 Agreement provides guidance to                        conservation easements or fee title
                                                  we expect to have the 2016 survey                       stakeholders to address threats and                   purchases on small private land parcels
                                                  results included in the final delisting                 establish goals to ensure long-term                   between U.S. Highway 89 and the
                                                  determination.                                          survival of the species (UDWR et al.                  existing Wildlife Management Area as
                                                    At the time of listing, we estimated                  2006, p. 7). Conservation actions                     resources and willing sellers become
                                                  the occupied habitat of Astragalus                      contained in the Conservation                         available: No easements or property


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                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                           45783

                                                  have been acquired, and we do not rely                  actions identified in the Conservation                endangered or threatened, this analysis
                                                  on this conservation action in our                      Agreement, new opportunities for                      of threats is an evaluation of both the
                                                  proposal to delist the species. However,                conservation of the species may be used               threats currently facing the species and
                                                  UDWR has a statewide initiative to                      in the future. For example, a new power               the threats that are reasonably likely to
                                                  acquire additional lands, so future                     line proposed near the species’ habitat               affect the species in the foreseeable
                                                  acquisition may be possible (Howard                     will use the same corridor as an existing             future following the removal of the Act’s
                                                  2016, pers. comm.).                                     transmission line (see Factor A).                     protections. We may delist a species
                                                     • Avoid using herbicides in species’                    Survey results from 2009 (the most                 according to 50 CFR 424.11(d) if the best
                                                  habitat managed by UDOT: This action                    recent estimate), determined that the                 available scientific and commercial data
                                                  is successful and ongoing. The UDOT                     total population estimate was 197,277–                indicate that the species is neither
                                                  does not use herbicides in species’                     211,915 juvenile and adult plants                     endangered nor threatened for the
                                                  habitat within highway rights-of-way,                   occurring on approximately 345 ac (140                following reasons: (1) The species is
                                                  and has committed to continuing this                    ha) of habitat, which is a significant                extinct; (2) the species has recovered
                                                  action as stipulated in the Conservation                increase compared to estimates of                     and is no longer endangered or
                                                  Agreement (Kisen 2016, pers. comm.).                    5,000–10,000 plants occurring on                      threatened; and/or (3) the original
                                                     • Avoid disturbing plants during                     approximately 300 ac (122 ha) at the                  scientific data used at the time the
                                                  highway maintenance and construction                    time of listing. We anticipate that the               species was classified were in error.
                                                  carried out by UDOT: This action is                     2016 survey results will confirm that the                Astragalus desereticus is currently
                                                  successful and ongoing. The UDOT has                    population remains stable. The majority               listed as threatened. Section 3(20) of the
                                                  not disturbed the species during                        of the species’ occupied habitat (74                  Act defines a ‘‘threatened species’’ as
                                                  highway maintenance and construction,                   percent) is managed by UDWR and                       ‘‘any species which is likely to become
                                                  and no highway widening projects are                    UDOT, and we have no information that                 an endangered species within the
                                                  anticipated through at least 2040, which                indicates the species faces significant               foreseeable future throughout all or a
                                                  is as far as their planning extends (Kisen              threats on private lands. Active                      significant portion of its range’’ (16
                                                  2016, pers. comm.).                                     participation on conservation actions                 U.S.C. 1532). We consider ‘‘foreseeable
                                                     • Service will monitor populations on                specified in the Conservation                         future’’ as that period of time within
                                                  an annual basis as needed: This action                  Agreement has fluctuated due to                       which a reliable prediction can be
                                                  is successful and ongoing. Surveys were                 funding and staffing since it was                     reasonably relied upon in making a
                                                  conducted in May 2016 by Utah Natural                   established in 2006 (U.S. Fish and                    determination about the future
                                                  Heritage Program personnel, and they                    Wildlife Service 2011, p. 4). However,                conservation status of a species, as
                                                  are currently analyzing the data.                       all of the associated conservation                    described in the Solicitor’s opinion
                                                     • UDWR and the Service will                          actions for UDWR and UDOT managed                     dated January 16, 2009. We consider 20
                                                  continue discussions on the                             habitat have been successfully                        years to be a reasonable period of time
                                                  development and review of management                    implemented, with the exception of                    within which reliable predictions can be
                                                  plans and habitat restoration that may                  acquiring conservation easements.                     made for the species. This time period
                                                  affect species’ habitat on the Wildlife                 Additionally, as described below,                     includes multiple generations of the
                                                  Management Area: This action is                         threats identified at the time of listing             species, coincides with the duration of
                                                  successful and ongoing. The Service’s                   in 1999 are not as significant as                     the Conservation Agreement, and falls
                                                  Utah Field Office is actively engaged                   originally anticipated (U.S. Fish and                 within the planning period used by
                                                  with UDWR in the development and                        Wildlife Service 2011, p. 21).                        UDOT. We consider 20 years a
                                                  review of actions that may affect the                                                                         conservative timeframe in view of the
                                                  species, and meets periodically to                      Summary of Factors Affecting the
                                                                                                                                                                much longer term protections in place
                                                  implement the protections identified in                 Species
                                                                                                                                                                for 67 percent of the species’ occupied
                                                  the Conservation Agreement.                                Section 4 of the Act and its                       habitat occurring within the UDWR
                                                     In summary, most of the conservation                 implementing regulations (50 CFR part                 Wildlife Management Area.
                                                  actions described in the Conservation                   424) set forth the procedures for listing                A recovered species has had threats
                                                  Agreement have been successfully                        species, reclassifying species, or                    removed or reduced to the point that it
                                                  achieved and are part of an ongoing                     removing species from listed status.                  no longer meets the Act’s definition of
                                                  management strategy for conserving                      ‘‘Species’’ is defined by the Act as                  threatened or endangered. A species is
                                                  Astragalus desereticus. Potential threats               including any species or subspecies of                an ‘‘endangered species’’ for purposes of
                                                  from residential development, livestock                 fish or wildlife or plants, and any                   the Act if it is in danger of extinction
                                                  grazing, and highway maintenance and                    distinct vertebrate population segment                throughout all or a significant portion of
                                                  widening are addressed by conservation                  of fish or wildlife that interbreeds when             its range and is a ‘‘threatened species’’
                                                  actions on approximately 74 percent of                  mature (16 U.S.C. 1532(16)). A species                if it is likely to become endangered
                                                  all occupied habitat owned and                          may be determined to be an endangered                 within the foreseeable future throughout
                                                  managed by either UDWR or UDOT.                         or threatened species due to one or more              all or a significant portion of its range.
                                                  Conservation measures initiated under                   of the five factors described in section              For the purposes of this analysis, we
                                                  the Conservation Agreement will                         4(a)(1) of the Act: (A) The present or                will evaluate whether or not the
                                                  continue through at least 2036.                         threatened destruction, modification, or              currently listed species, Astragalus
                                                     As described above, we have new                      curtailment of its habitat or range; (B)              desereticus, should continue to be listed
                                                  information for Astragalus desereticus                  overutilization for commercial,                       as a threatened species, based on the
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                                                  since our listing decision and the                      recreational, scientific, or educational              best scientific and commercial
                                                  species’ status has improved. This                      purposes; (C) disease or predation; (D)               information available.
                                                  improvement is likely due to expanded                   the inadequacy of existing regulatory                    In considering what factors might
                                                  surveys as well as the amelioration of                  mechanisms; or (E) other natural or                   constitute threats, we must look beyond
                                                  threats and an improved understanding                   manmade factors affecting its continued               the exposure of the species to a
                                                  of the stressors affecting the species (see             existence. We must consider these same                particular factor to evaluate whether the
                                                  five-factor discussion in the following                 five factors in delisting a species. For              species may respond to the factor in a
                                                  section). In addition to the conservation               species that are already listed as                    way that causes actual impacts to the


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                                                  45784                  Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules

                                                  species. If there is exposure to a factor               use and, therefore, are not discussed                 However, the species’ habitat occurs on
                                                  and the species responds negatively, the                under Factor D; however, the Ordinance                steep upland slopes that are not
                                                  factor may be a threat, and during the                  prioritizes uses and provides                         vulnerable to potential impacts from
                                                  five-factor threats analysis, we attempt                management guidance for all lands in                  changes in downstream flows.
                                                  to determine how significant a threat it                Utah County, unless specifically                      Residential development at this scale
                                                  is. The threat is significant if it drives              exempted (Utah County 2016, Chapter                   and distance from Astragalus
                                                  or contributes to the risk of extinction                5). All of the conservation actions in                desereticus population is not likely to
                                                  of the species such that the species                    place for the species meet the guidelines             impact the species or its habitat now or
                                                  warrants listing as endangered or                       under their respective land use zone,                 within the foreseeable future.
                                                  threatened as those terms are defined by                and we are not aware of any occupied                     The majority of Astragalus desereticus
                                                  the Act. However, the identification of                 habitat specifically exempted from the                habitat occurs on steep, rocky, erosive
                                                  factors that could affect a species                     guidance described for the                            slopes that are not favorable for
                                                  negatively may not be sufficient to                     aforementioned land use zones.                        development; consequently, we do not
                                                  justify a finding that the species                         The following potential stressors were             anticipate any future residential
                                                  warrants listing. The information must                  identified for this species at the time of            development in the species’ occupied
                                                  include evidence sufficient to suggest                  listing: (1) Residential development, (2)             habitat (Fitts 2016, pers. comm.).
                                                  that the potential threat is likely to                  highway maintenance and widening,                     Additionally, as previously noted,
                                                  materialize and that it has the capacity                and (3) livestock grazing and trampling.              approximately 230 ac (93 ha)––67
                                                  (sufficient magnitude and extent) to                    During the current status review we also              percent of total habitat for the species—
                                                  affect the species’ status such that it                 considered: (4) mineral development,                  are in a Wildlife Management Area
                                                  meets the definition of endangered or                   (5) transmission lines, and (6) climate               owned by the UDWR that is protected
                                                  threatened under the Act. This                          change. Each of these stressors are                   from residential development as
                                                  determination does not necessarily                      assessed below.                                       described under Factor D.
                                                  require empirical proof of a threat. The                                                                         We conclude, based on the available
                                                                                                          Residential Development                               information, that residential
                                                  combination of exposure and some
                                                  corroborating evidence of how the                          In our final rule listing Astragalus               development is not a threat to
                                                  species is likely impacted could suffice.               desereticus, substantial human                        Astragalus desereticus currently or
                                                  The mere identification of factors that                 population growth and urban expansion                 within the foreseeable future due to: (1)
                                                  could impact a species negatively is not                were predicted in the Provo, Spanish                  The minimal disturbance from
                                                  sufficient to compel a finding that                     Fork, and Weber River drainages east of               residential development that has
                                                  listing is appropriate; we require                      the Wasatch Mountains. Increased                      occurred on the species’ habitat to date
                                                  evidence that these factors are operative               residential development was considered                and is anticipated to be minimal in the
                                                  threats that act on the species to the                  a threat to the species due to the                    future; (2) the steep, rocky, erosive
                                                  point that the species meets the                        potential for loss of plants and habitat              nature of the species’ habitat, which
                                                  definition of an endangered species or                  that results from construction of roads,              precludes most development; and (3)
                                                  threatened species under the Act. The                   buildings, and associated infrastructure              the amount of habitat (67 percent) that
                                                  following analysis examines the five                    (e.g., utilities) (64 FR 56591, October 20,           is protected from residential
                                                  factors currently affecting Astragalus                  1999). However, counter to the                        development.
                                                  desereticus, or that are likely to affect it            predictions of the Quality Growth
                                                                                                          Efficiency Tools Technical Committee                  Highway Widening and Maintenance
                                                  within the foreseeable future.
                                                                                                          cited in our final listing rule, residential             In our final rule listing Astragalus
                                                  A. The Present or Threatened                            development in these areas has been                   desereticus, potential widening of
                                                  Destruction, Modification, or                           very limited since listing. Despite the               Highway 89 was considered a threat to
                                                  Curtailment of Its Habitat or Range                     recent construction of a house and a                  plants growing in the highway right-of-
                                                     Factor A requires the Service to                     barn adjacent to Astragalus desereticus               way (64 FR 56592, October 20, 1999).
                                                  consider present or threatened                          occupied habitat (Fitts 2016, pers.                   Highway widening would result in the
                                                  destruction, modification, or                           comm.), all other nearby development                  loss of plants and habitat directly
                                                  curtailment of Astragalus desereticus                   that has already occurred or is planned               adjacent to Highway 89. Regular
                                                  habitat or range. The species is found in               for the future is located several miles               highway maintenance activities include
                                                  three different land use zones, as                      from the species’ habitat as described in             herbicide use to control weeds that
                                                  categorized by Utah County Land Use                     the following paragraph.                              could result in the loss of plants within
                                                  Ordinance (Jorgensen 2016b, pers.                          The nearest community, Birdseye, is                the right-of-way and adjacent habitat.
                                                  comm.; Utah County 2016, Chapter 5).                    unincorporated and has not been                       Additionally, road improvement
                                                  Approximately 74.6 percent of the                       included in recent U.S. Census Bureau                 projects may generate dust that can
                                                  species’ habitat occurs in Critical                     surveys; therefore, no recent population              affect nearby plants. However, widening
                                                  Environment Zone 1, which has the                       estimates are available. We are aware of              of Highway 89 has not occurred and is
                                                  primary purpose of supporting water                     only three proposed development                       not anticipated by UDOT through at
                                                  resources for culinary use, irrigation,                 properties in this area. One property has             least 2040, which is as far as planning
                                                  recreation, natural vegetation, and                     potential for 95 lots and is 2.8 mi (4.5              extends (Kisen 2016, pers. comm.).
                                                  wildlife. Approximately 16.7 percent                    km) from known occupied habitat. The                     The nearest highway development
                                                  occurs in Residential Agricultural Zone                 other two developments would be single                project is a modification of the
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                                                  5, which has the primary purpose of                     dwelling properties approximately 4 mi                intersection of Highway 89 and
                                                  preserving agricultural lands. The                      (6 km) and 5 mi (8 km) from known                     Highway 6 planned for 2017 (Kisen
                                                  remaining 8.6 percent occurs in Critical                occupied habitat (Larsen 2016, pers.                  2016, pers. comm.). This project will
                                                  Environment Zone 2, which has the                       comm.; Jorgensen 2016a, pers. comm.).                 take place approximately 7 mi (11 km)
                                                  primary purpose of preserving fragile                   These three proposed developments are                 north of Birdseye and 4 mi (6 km) north
                                                  environmental uses (Jorgensen 2016b,                    located near Thistle Creek, upstream                  of the nearest occurrence of the species.
                                                  pers. comm.). These zones do not                        from Astragalus desereticus habitat                   Therefore, we do not anticipate any
                                                  strictly regulate management and land                   (Jorgensen 2016a, pers. comm.).                       direct or indirect impacts to the species.


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                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                          45785

                                                  No other projects are currently planned                 habitat to improve grazing for wild                   list Astragalus desereticus (64 FR 56590,
                                                  within 20 mi (32 km) of Birdseye (Kisen                 ungulates and livestock; impacts from                 October 20, 1999). At the time the
                                                  2016, pers. comm.).                                     grazing in the form of trails and                     Conservation Agreement was signed
                                                     Road maintenance is ongoing;                         trampling were noted at the southern                  there was no information indicating that
                                                  however, as committed to in the                         end of Astragalus desereticus habitat                 mineral development was going to occur
                                                  Conservation Agreement, UDOT avoids                     (Franklin 1990, p. 4, U.S. Fish and                   (UDWR et al. 2006, p. 7). SITLA owns
                                                  herbicide use and other disturbance in                  Wildlife 2011, p. 16). However, cattle                the mineral rights on most of the land
                                                  the species’ habitat (Lewinsohn 2016,                   tended to concentrate upslope of the                  occupied by Astragalus desereticus, and
                                                  pers. comm.; UDWR et al. 2006, p. 9).                   species’ habitat in the chained and                   the agency has not had any inquiries
                                                  In instances where herbicides must be                   seeded area where forage production                   regarding mineral development in the
                                                  used, UDOT will not apply by aerial                     was higher, and by 1992, there were no                species’ habitat since the Conservation
                                                  application within 500 ft (152.5 m) of                  signs of recent grazing in the species’               Agreement was signed (UDWR et al.
                                                  occupied habitat and will maintain a                    habitat (Stone 1992, p. 8). The last cattle           2006, p. 7; Wallace 2016, pers. comm.).
                                                  100-ft (30-m) buffer for hand application               grazing on the Wildlife Management                    In the Conservation Agreement, which
                                                  of herbicides around individual plants                  Unit occurred in 2002 (U.S. Fish and                  will remain in effect through 2036,
                                                  (UDWR et al. 2006, p. 9). The species                   Wildlife 2011, p. 17).                                SITLA agreed to alert any energy and
                                                  appears to tolerate some levels of                         The UDWR does not currently allow                  mineral developers to the presence of
                                                  disturbance related to road maintenance                 livestock grazing on the Birdseye Unit of             occupied habitat and recommend
                                                  because it recolonizes areas that have                  the Wildlife Management Area, and                     surface use stipulations that avoid
                                                  been disturbed by tracked vehicles, road                does not plan for any future grazing                  disturbance and provide mitigation for
                                                  grading equipment, and road cuts                        within the portion of the Wildlife                    unavoidable effects to plants or their
                                                  (Franklin 1990, p. 2; Fitts and Fitts                   Management Area that contains                         habitat (UDWR et al. 2006, p. 8).
                                                  2009, p. 5; SWCA 2015, p. 7).                           Astragalus desereticus habitat (Howard                However, there is a low potential for
                                                     In summary, highway widening and                     2016, pers. comm.). Avoidance of                      mineral development in the area;
                                                  maintenance can destroy habitat and                     livestock grazing in species’ habitat that            consequently, no future development is
                                                  fragment populations, but based upon                    is managed by UDWR is stipulated in                   anticipated (Wallace 2017, pers.
                                                  information provided by UDOT, impacts                   the Conservation Agreement (UDWR et                   comm.).
                                                  from these activities are not projected to              al. 2006, p. 8). Additionally, the species’              In summary, developers have not
                                                  occur across the range of Astragalus                    habitat is not well-suited to grazing due             expressed any interest in mineral
                                                  desereticus within the foreseeable                      to sparse forage and steep slopes. Some               development within the range of
                                                  future. We are not aware of planned                     private lands where the species occurs                Astragalus desereticus. Additionally,
                                                  road-widening construction projects in                  allow livestock grazing; however, when                there is a low potential for mineral
                                                  or near the species’ habitat, and UDOT                  last visited, there was no evidence of                development in the area; consequently,
                                                  has committed to avoiding herbicide use                 impacts to the species (U.S. Fish and                 no future development is anticipated
                                                  and other disturbance in occupied                       Wildlife 2011, p. 17).                                (Wallace 2017, pers. comm.). Therefore,
                                                  Astragalus desereticus habitat during                      In summary, livestock grazing and                  based on the available information, we
                                                  maintenance activities (Lewinsohn                       trampling were considered a threat to                 conclude that mineral development is
                                                  2016, pers. comm.; UDWR et al. p. 9).                   Astragalus desereticus in our final                   not a threat to Astragalus desereticus
                                                  Therefore, based on the available                       listing rule because grazing occurred                 currently or within the foreseeable
                                                  information, we conclude that highway                   historically over much of the species’                future.
                                                  widening and maintenance is not a                       habitat and we were concerned about
                                                                                                          trampling and erosion impacts to the                  Transmission Lines
                                                  threat to Astragalus desereticus
                                                  currently or within the foreseeable                     species from livestock use, especially in               Impacts from transmission lines were
                                                  future.                                                 light of the small population size known              not considered in the final rule to list
                                                                                                          at the time. However, changes in land                 the species (64 FR 56590, October 20,
                                                  Livestock Grazing and Trampling                         ownership and management due to                       1999). The Mona to Bonanza high-
                                                     In our final rule listing Astragalus                 establishment of the Birdseye Unit of                 voltage transmission line is an existing
                                                  desereticus, livestock grazing and                      the Northwest Manti Wildlife                          power line near Astragalus desereticus
                                                  trampling were considered threats to the                Management Area reduced the level of                  habitat located at the easternmost extent
                                                  species because of direct consumption                   livestock use within 67 percent of the                of the known range of the species
                                                  of plants, trampling of plants and the                  species habitat managed now by UDWR.                  (Miller 2016, pers. comm.). A new
                                                  burrows of ground-dwelling pollinators,                 Permitted cattle grazing on the Wildlife              power line proposed in the area is the
                                                  and soil erosion (64 FR 56591, October                  Management Area ceased in 2002, and                   TransWest Express transmission line.
                                                  20, 1999). In contrast to many species of               UDWR remains committed to avoiding                    This proposed transmission line would
                                                  Astragalus, this species apparently is                  impacts within the species’ habitat                   use the same corridor as the existing
                                                  not toxic to livestock, and is palatable                (Howard 2016, pers. comm.).                           Mona to Bonanza transmission line
                                                  and may be consumed (Stone 1992, p.                     Additionally, occupied habitat on both                (SWCA Environmental Consultants
                                                  6; Tilley et al. 2010, p. 1).                           private and protected lands is steep and              2015, p. 1). TransWest Express
                                                     Prior to UDWR acquiring the                          rocky, with sparse forage. Consequently,              estimated that approximately 10.9 ac
                                                  Northwest Manti Wildlife Management                     minimal grazing impacts have been                     (4.4 ha) of potential or occupied habitat
                                                  Area in 1967, livestock grazing occurred                                                                      for the species occurs within 300 ft (91
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                                                                                                          documented. We conclude, based on the
                                                  for more than 50 years on habitat                       available information, that livestock                 m) of proposed transmission structures,
                                                  occupied by Astragalus desereticus, and                 grazing and trampling are not a threat to             and approximately 0.25 ac (0.10 ha)
                                                  may explain why attempts to locate the                  Astragalus desereticus currently or                   would be directly disturbed (SWCA
                                                  species were unsuccessful for decades                   within the foreseeable future.                        Environmental Consultants 2015, p. 17).
                                                  (UDWR et al. 2006, p. 6). Once UDWR                                                                           This estimate included some habitat
                                                  acquired the land, they chained                         Mineral Development                                   above 6,000 ft (1,829 m) that was likely
                                                  (removed scrub growth) and seeded                        Impacts from mineral development                     misidentified as occupied habitat (Fitts
                                                  level land upslope of the species’                      were not considered in the final rule to              2016, pers. comm.). Therefore, actual


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                                                  45786                  Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules

                                                  disturbance estimates may be slightly                   indirect effects on species. These effects            2009, p. 3; Orscheg and Enright 2011, p.
                                                  less than 0.25 ac (0.10 ha). We estimate                may be positive, neutral, or negative and             186; Segura et al. 2014, p. 75). Dormant
                                                  that up to one percent of the species’                  they may change over time, depending                  seeds have a seed coat that imposes a
                                                  total population could be impacted if no                on the species and other relevant                     physical barrier between water and the
                                                  measures to minimize impacts were                       considerations, such as the effects of                embryo, and this type of dormancy
                                                  taken (U.S. Fish and Wildlife Service                   interactions of climate with other                    provides an ecological advantage by
                                                  2016, p. 29). However, minimal impacts                  variables (e.g., habitat fragmentation)               staggering germination over a long
                                                  are expected to result from the                         (IPCC 2007, pp. 8–14, 18–19). In our                  period of time, protecting the embryo
                                                  transmission line installation because                  analyses, we use our expert judgment to               from microbial attack, and increasing
                                                  dust abatement measures would be                        weigh relevant information, including                 the longevity of seeds within the soil
                                                  implemented, the proposed route is                      uncertainty, in our consideration of                  (Fulbright 1987, p. 40). Species with
                                                  located farther away from Astragalus                    various aspects of climate change.                    physically dormant seeds typically have
                                                  desereticus populations than the                           The current rate of a decade-long                  seeds germinating over many years,
                                                  existing Mona to Bonanza transmission                   drought in the southwestern United                    which increases the probability of the
                                                  line, and existing access roads would be                States is one per century (Ault et al.                species’ persistence in an unpredictable
                                                  used within the species’ habitat (U.S.                  2013, p. 7538). This equates to a 50                  environment and has been termed a
                                                  Fish and Wildlife Service 2016, pp. 25–                 percent chance over a 50 year interval.               ‘‘bet-hedging strategy’’ (Simons 2009,
                                                  31). Consequently, impacts from the                     Estimates regarding the risk of future                pp. 1990–1991; Williams and Elliott
                                                  proposed TransWest Express                              persistent droughts in the southwestern               1960, pp. 740–742). This strategy buffers
                                                  transmission line are not anticipated to                United States over the time period from               a population against catastrophic losses
                                                  result in a population-level effect to the              2050 to 2100 increase to 50–90 percent                and negative effects from environmental
                                                  species based upon the localized extent                 over the 50 year interval (Ault et al.                variation (Tielbörger et al. 2014, p. 4).
                                                  of impacts and the currently robust                     2013, pp. 7541–7547). In other words,                 Astragalus desereticus can be dormant
                                                  status of the species (see Species                      the likelihood of future drought in the               and not detectable for some years, but
                                                  Abundance, Distribution, and Trends).                   southwestern United States is stable to               later detected in the same area given
                                                  In addition, the species is able to                     increasing when compared to current                   favorable precipitation conditions (Fitts
                                                  tolerate some levels of disturbance, and                conditions. Climate models that predict               2016, pers. comm.). This pattern
                                                  plants have recolonized disturbed areas                 future temperatures over three different              provides some evidence the species has
                                                  (Fitts and Fitts 2009, p. 5; Franklin                   time periods in the 21st century for the              a persistent seed bank and possibly
                                                  1990, p. 2).                                            southwestern United States show the                   other life stages that remain dormant
                                                     In summary, Astragalus desereticus                   greatest warming in summer months                     during drought conditions. As a result,
                                                  maintains a large, robust population                    (3.5–6.5 degrees Fahrenheit (°F)) (1.9–               multiple years of surveys may be
                                                  next to the existing Mona to Bonanza                    3.6 degrees Celsius (°C)), with a                     necessary to determine if Astragalus
                                                  transmission line, and only a very                      localized maximum increase in                         desereticus is present within suitable
                                                  minimal amount of habitat (less than                    temperatures in central Utah (Kunkel et               habitat.
                                                  0.25 ac (0.10 ha)) would be disturbed by                al. 2013, p. 72). Nationwide, Utah ranks                 Astragalus desereticus appears well-
                                                  the proposed future construction of the                 eighth in rate of warming since 1912,                 adapted to a dry climate and can
                                                  TransWest transmission line. We                         with a 0.233 °F (0.129 °C) increase per               quickly colonize after disturbance.
                                                  conclude, based on the available                        decade; and seventh in rate of warming                Plants growing in high-stress landscapes
                                                  information, that transmission lines are                since 1970, with a 0.588 °F (0.327 °C)                (e.g., poor soils and variable moisture)
                                                  not a threat to Astragalus desereticus                  increase per decade (Tebaldi et al. 2012,             are generally adapted to stress and thus
                                                  currently or within the foreseeable                     pp. 3 and 5). We do not have                          may experience lower mortality during
                                                  future.                                                 information regarding the increased                   severe droughts (Gitlin et al. 2006, pp.
                                                                                                          likelihood of drought or temperature                  1477 and 1484). Furthermore, plants
                                                  Climate Change
                                                                                                          increases at the more detailed scale of               and plant communities of arid and
                                                     Impacts from climate change were not                 the range of Astragalus desereticus––a                semi-arid systems may be less
                                                  considered in the final rule to list the                range that encompasses only a portion                 vulnerable to the effects of climate
                                                  species (64 FR 56590, October 20, 1999).                of one county in central Utah.                        change if future climate conditions are
                                                  Our current analyses under the Act                      Therefore, more site specific predictions             within the historic natural climatic
                                                  include consideration of ongoing and                    are not possible.                                     variation experienced by the species
                                                  projected changes in climate. The terms                    The Astragalus genus has the ability               (Tielbörger et al. 2014, p. 7). The species
                                                  ‘‘climate’’ and ‘‘climate change’’ are                  to colonize disturbed or unstable                     likely has experienced multiple periods
                                                  defined by the Intergovernmental Panel                  habitats in progressively dry climates                of prolonged drought conditions in the
                                                  on Climate Change (IPCC). ‘‘Climate’’                   and thus appears to be adapted to                     past as documented from reconstructed
                                                  refers to the mean and variability of                   drought (Stone 1992, p. 6). Generally                 pollen records in sagebrush steppe
                                                  different types of weather conditions                   plant numbers decrease during drought                 lands (Mensing et al. 2007, pp. 8–10).
                                                  over time, with 30 years being a typical                years and recover in subsequent seasons               Natural climatic variation in the
                                                  period for such measurements, although                  that are less dry. For example, many                  Southwest for the last 500 years
                                                  shorter or longer periods also may be                   plants of Astragalus desereticus                      included periodic major droughts
                                                  used (IPCC 2007, p. 78). The term                       appeared to die-off in response to the                (Kunkle et al. 2013, p. 14). Therefore, it
                                                  ‘‘climate change’’ thus refers to a change              2012 drought, but have since                          is likely that the species will be able to
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                                                  in the mean or variability of one or more               repopulated the area from the seed bank               withstand future periods of prolonged
                                                  measures of climate (e.g., temperature or               (Fitts 2016, pers. comm.). Astragalus                 drought.
                                                  precipitation) that persists for an                     desereticus and other species in the                     In summary, climate change is
                                                  extended period, typically decades or                   bean family typically have persistent                 affecting and will continue to affect
                                                  longer, whether the change is due to                    seed banks with at least some                         temperature and precipitation events.
                                                  natural variability, human activity, or                 proportion of the seed bank being long-               We expect that Astragalus desereticus,
                                                  both (IPCC 2007, p. 78). Various types                  lived because the seeds are physically                like other narrow endemics, could
                                                  of changes in climate can have direct or                dormant for long periods of time (Dodge               experience future climate change-


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                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                           45787

                                                  related drought. However, current data                  modification, or curtailment of habitat               Astragalus desereticus discussed under
                                                  are not sufficiently reliable at the local              or range of Astragalus desereticus.                   other factors. Section 4(b)(1)(A) of the
                                                  level to predict the scope of effects of                                                                      Act requires the Service to take into
                                                                                                          B. Overutilization for Commercial,
                                                  future climate change-related drought.                                                                        account ‘‘those efforts, if any, being
                                                                                                          Recreational, Scientific, or Educational
                                                  The information we do have indicates                                                                          made by any State or foreign nation, or
                                                                                                          Purposes
                                                  the species and the genus are adapted to                                                                      any political subdivision of a State or
                                                  drought and are able to re-colonize                        Factor B requires the Service to                   foreign nation, to protect such species.’’
                                                  disturbed areas. Therefore, based upon                  consider overutilization of Astragalus                In relation to Factor D under the Act, we
                                                  available information, we conclude that                 desereticus for commercial, recreational,             interpret this language to require us to
                                                  climate change is not a threat to                       scientific, or educational purposes.                  consider relevant Federal, State, and
                                                  Astragalus desereticus currently or                     Overutilization for any purpose was not               Tribal laws, regulations, and other such
                                                  within the foreseeable future.                          considered a threat in the final rule to              mechanisms that may minimize any of
                                                                                                          list the species (64 FR 56593, October                the threats we describe in the threats
                                                  Summary of Factor A                                     20, 1999). The only collections of the                analyses under the other four factors, or
                                                     The following stressors warranted                    species that we are aware of were for                 otherwise enhance conservation of the
                                                  consideration as possible current or                    scientific purposes. An unknown                       species. We give strongest weight to
                                                  future threats to Astragalus desereticus                number of seeds were collected in 2007                statutes and their implementing
                                                  under Factor A: (1) Residential                         and approximately 850 seeds were                      regulations and to management
                                                  development, (2) highway maintenance                    collected from 45 plants in 2008. In                  direction that stems from those laws and
                                                  and widening, (3) livestock grazing and                 addition, 1,016 seeds were collected                  regulations; an example would be State
                                                  trampling, (4) mineral development, (5)                 from 55 plants in 2009 for germination                governmental actions enforced under a
                                                  transmission lines, and (6) climate                     trials and long-term seed storage at Red              State statute or constitution, or Federal
                                                  change. However, these stressors either                 Butte Gardens and Arboretum in Salt                   action under statute.
                                                  have not occurred to the extent                         Lake City, Utah, and the National Center                 For currently listed species that are
                                                  anticipated at the time of listing, are                 for Genetic Resources Preservation in                 being considered for delisting, we
                                                  being adequately managed, or the                        Fort Collins, Colorado (Dodge 2009, p.                consider the adequacy of existing
                                                  species is tolerant of the stressor as                  4). This amount of collection is                      regulatory mechanisms to address
                                                  described below.                                        insignificant given the current                       threats to the species absent the
                                                     • Minimal disturbance from                           population estimates for the species,                 protections of the Act. We examine
                                                  residential development has occurred                    and overall it is beneficial because it               whether other regulatory mechanisms
                                                  on the species’ habitat to date and is                  will improve our understanding of                     would remain in place if the species
                                                  anticipated in the future because of the                species propagation and ensure genetic                were delisted, and the extent to which
                                                  steep, rocky, erosive nature of the                     preservation. We are not aware of any                 those mechanisms will continue to help
                                                  species’ habitat. In addition, 67 percent               other utilization of the species.                     ensure that future threats will be
                                                  of the species’ habitat is protected from               Therefore, based on the available                     reduced or minimized.
                                                                                                          information, we do not consider there to                 In our discussion under Factors A, B,
                                                  residential development due to its
                                                                                                          be any threats now, nor are there likely              C, and E, we evaluate the significance of
                                                  inclusion in a State wildlife
                                                                                                          to be any threats in the future, related              threats as mitigated by any conservation
                                                  management area.
                                                                                                          to overutilization for commercial,                    efforts and existing regulatory
                                                     • No highway widening is anticipated                                                                       mechanisms. Where threats exist, we
                                                  by UDOT in occupied habitat, and                        recreational, scientific, or educational
                                                                                                          purposes of Astragalus desereticus.                   analyze the extent to which
                                                  herbicide use and other disturbances are                                                                      conservation measures and existing
                                                  avoided in habitat for the species.                     C. Disease or Predation                               regulatory mechanisms address the
                                                     • The steep, rocky nature of the                        Factor C requires the Service to                   specific threats to the species.
                                                  species’ habitat and sparse forage                      consider impacts to Astragalus                        Regulatory mechanisms may reduce or
                                                  minimize livestock grazing, and 67                      desereticus from disease and predation.               eliminate the impacts from one or more
                                                  percent of all habitat is carefully                     Disease and predation were not                        identified threats.
                                                  managed by UDWR to restrict it from                     considered threats in the final rule to                  As previously discussed, conservation
                                                  grazing.                                                list the species (64 FR 56593, October                measures initiated by UDWR, SITLA,
                                                     • The lack of inquiries and low                      20, 1999). We are not aware of any                    and UDOT under the Conservation
                                                  potential regarding mineral                             issues or potential stressors regarding               Agreement manage potential threats
                                                  development indicate that mineral                       disease or insect predation. As                       caused by residential development,
                                                  development is not a threat.                            described in more detail under Factor A,              highway maintenance and widening,
                                                     • The existing transmission line is                  grazing––which could be considered a                  and livestock grazing and trampling, as
                                                  not a threat to the species, and activity               form of predation––is limited in the                  well as the more recently identified
                                                  associated with the proposed                            species’ habitat and it does not affect the           proposed transmission line. In addition
                                                  transmission line occurring within the                  species throughout its range or at a                  to these conservation measures, relevant
                                                  species’ occupied habitat will be                       population level. Therefore, based on                 Utah State statutes and UDWR
                                                  confined to existing access roads.                      the available information, we do not                  administrative rules that will remain in
                                                     • The species and its genus are likely               consider there to be any threats now,                 effect regardless of the species’ status
                                                  adapted to drought related to climate                                                                         under the Act include:
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                                                                                                          nor are there likely to be any threats in
                                                  change.                                                 the future, related to disease or                        1. Title 23––Wildlife Resources Code
                                                     • The species appears able to readily                predation of Astragalus desereticus.                  of Utah, Chapter 21––Lands and Waters
                                                  re-colonize disturbed areas.                                                                                  for Wildlife Purposes, Section 5––State-
                                                     Therefore, based on the available                    D. The Inadequacy of Existing                         owned lands authorized for use as
                                                  information, we do not consider there to                Regulatory Mechanisms                                 wildlife management areas, fishing
                                                  be any threats now, nor are there likely                  Under this factor, we examine                       waters, and for other recreational
                                                  to be any threats in the future, related                whether existing regulatory mechanisms                activities. This statute authorizes the
                                                  to the present or threatened destruction,               are inadequate to address the threats to              creation, operation, maintenance, and


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                                                  45788                  Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules

                                                  management of wildlife management                       continue to exist into the future. Many               larger and its population numbers are
                                                  areas including the Birdseye Unit of the                naturally rare species exhibit traits that            much higher than previously thought,
                                                  Northwest Manti Wildlife Management                     allow them to persist for long periods                which indicates a tolerance to stochastic
                                                  Area. The Birdseye Unit contains 67                     within small geographic areas, despite                events. These increases are likely due to
                                                  percent of all known habitat occupied                   their small population size.                          a combination of expanded surveys and
                                                  by Astragalus desereticus.                              Consequently, the fact that a species is              increases in population.
                                                  Consequently, two-thirds of all known                   rare does not necessarily indicate that it
                                                  habitat is currently managed and will                   may be endangered or threatened. Rarity               Summary of Factor E
                                                  continue to be managed as wildlife                      alone, in the absence of other stressors,               Given the lack of threats within the
                                                  habitat regardless of the species’ status               is not a threat. Despite the species’                 Astragalus desereticus population and
                                                  under the Act.                                          unique habitat characteristics and                    the robust population size, we conclude
                                                     2. UDWR Administrative Rule R657–                    limited range, its current population                 that rarity and stochastic events are not
                                                  28––Use of Division Lands. This                         numbers and preliminary demographic                   threats now, nor are they likely to be
                                                  administrative rule describes the lawful                analyses show that its known                          threats in the future, to Astragalus
                                                  uses and activities on UDWR lands                       population (via information at                        desereticus.
                                                  including Birdseye Unit of the                          monitored sites) is much larger than in
                                                  Northwest Manti Wildlife Management                     1990 when the first surveys were                      Cumulative Effects
                                                  Area. These uses cannot conflict with                   conducted and will likely be sustained                   Many of the stressors discussed in
                                                  the intended land use or be detrimental                 due to the species’ resiliency and the                this analysis could work in concert with
                                                  to wildlife or wildlife habitat. This                   absence of significant stressors.                     each other resulting in a cumulative
                                                  administrative rule provides further                    Additionally, as noted under Factor B,                adverse effect to Astragalus desereticus,
                                                  support to beneficial management on                     seeds have been collected for long-term               e.g., one stressor may make the species
                                                  the 67 percent of occupied habitat                      seed storage at Red Butte Gardens and                 more vulnerable to other threats. For
                                                  managed by UDWR, regardless of the                      Arboretum in Salt Lake City, Utah, and                example, stressors discussed under
                                                  species’ status under the Act.                          the National Center for Genetic                       Factor A that individually do not rise to
                                                     We are not aware of any Astragalus                   Resources Preservation in Fort Collins,               the level of a threat could together result
                                                  desereticus occupied habitat on Federal                 Colorado (Dodge 2009, p. 4). This                     in habitat loss. Similarly, small
                                                  lands. We anticipate that the                           collection provides added security for                population size in combination with
                                                  conservation measures initiated by                      the species.                                          stressors discussed under Factor A
                                                  UDWR, SITLA, and UDOT under the                                                                               could present a potential concern.
                                                                                                          Stochastic Events
                                                  Conservation Agreement will continue                                                                          However, most of the potential stressors
                                                  through at least 2036. Consequently, we                    In our final rule listing Astragalus               we identified either have not occurred
                                                  find that conservation measures along                   desereticus, stochastic events––                      to the extent originally anticipated at
                                                  with existing State regulatory                          particularly fire, drought, and disease–              the time of listing in 1999 or are
                                                  mechanisms are adequate to address                      –were considered a threat because of the              adequately managed as described in this
                                                  these specific stressors absent                         species’ small population size and                    proposal to delist the species.
                                                  protections under the Act.                              highly restricted range (64 FR 56593,                 Furthermore, those stressors that are
                                                                                                          October 20, 1999). Because rare species               evident, such as drought and rarity,
                                                  E. Other Natural or Manmade Factors                     may be vulnerable to single event
                                                  Affecting Its Continued Existence                                                                             appear well-tolerated by the species. In
                                                                                                          occurrences, it is important to have                  addition, we do not anticipate stressors
                                                     Factor E requires the Service to                     information on how likely it is such an               to increase on UDWR lands that afford
                                                  consider any other factors that may be                  event may occur and how it may affect                 protections to the species on 67 percent
                                                  affecting Astragalus desereticus. Under                 the species. Demographic stochasticity–               of occupied habitat for the reasons
                                                  this factor, we discuss: (1) Rarity, (2)                –random events in survival and                        discussed in this delisting proposal.
                                                  stochastic events, and (3) cumulative                   reproductive success––and genetic                     Furthermore, the increases documented
                                                  effects.                                                stochasticity––from inbreeding and                    in the abundance and distribution of the
                                                                                                          changes in gene frequency––are not                    species since it was listed do not
                                                  Rarity                                                  significant threats based on limited                  support a conclusion that cumulative
                                                    In our final rule listing Astragalus                  abundance trends and the known                        effects threaten the species.
                                                  desereticus, small population size was                  population size of the species (Stone
                                                  considered a concern for the species                    1992, pp. 8–10). The same author noted                Proposed Determination of Species
                                                  because of the potential for low levels                 that environmental stochasticity––such                Status
                                                  of genetic diversity as compared to other               as fire, drought, and disease––may be a
                                                                                                                                                                Introduction
                                                  more widespread related species (64 FR                  threat to the species (Stone 1992, p. 10).
                                                  56593, October 20, 1999). A species may                 However, we have since concluded that                   Section 4 of the Act (16 U.S.C. 1533),
                                                  be considered rare due to: (1) a Limited                fire is unlikely in the open, sparsely                and its implementing regulations at 50
                                                  geographic range, (2) occupation of                     wooded habitat that the species favors                CFR part 424, set forth the procedures
                                                  specialized habitats, or (3) small                      (72 FR 3379, January 25, 2007; U.S. Fish              for determining whether a species is an
                                                  population numbers (Primack 1998, p.                    and Wildlife 2011, p. 21). As noted in                endangered species or threatened
                                                  176). This species meets each of these                  the discussion of climate change under                species and should be included on the
                                                  qualifications.                                         Factor A, the species appears to be                   Federal Lists of Endangered and
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                                                    Astragalus desereticus is likely a                    drought tolerant, showing an ability to               Threatened Wildlife and Plants (listed).
                                                  localized neoendemic, that is, it is a                  rebound following drought and re-                     The Act defines an endangered species
                                                  relatively new species on the scale of                  colonize disturbed areas in                           as any species that is ‘‘in danger of
                                                  geologic time and likely has always                     progressively dry climates. Lastly, as                extinction throughout all or a significant
                                                  been geographically restricted (rare)                   noted under Factor C, there is no                     portion of its range’’ and a threatened
                                                  (Stone 1992, p. 6). A species that has                  evidence of disease or insect pests.                  species as any species ‘‘that is likely to
                                                  always been rare, yet continues to                      Since listing, survey data has shown the              become endangered throughout all or a
                                                  survive, could be well-equipped to                      species’ known range is somewhat                      significant portion of its range within


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                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                             45789

                                                  the foreseeable future.’’ The phrase                    ESA, is an endangered or threatened                   all or part of the species’ life cycle, even
                                                  ‘‘significant portion of its range’’ (SPR)              species’’). The issue has not been                    if not used on a regular basis. We
                                                  is not defined by the Act, and, since the               addressed by a Federal Court of                       consider the ‘‘current’’ range of the
                                                  Service’s policy interpreting the phrase                Appeals.                                              species to be the range occupied by the
                                                  was vacated by the court in Center for                     For the purposes of this rule, we                  species at the time the Service makes a
                                                  Biological Diversity v. Sally Jewel, No.                interpret the phrase ‘‘significant portion            determination under section 4 of the
                                                  14–cv–02506–RM (D. Ariz. Mar. 29,                       of its range’’ (SPR) in the Act’s                     Act. The phrase ‘‘is in danger’’ in the
                                                  2017), we currently do not have a                       definitions of ‘‘endangered species’’ and             definition of ‘‘endangered species’’
                                                  binding interpretation that addresses:                  ‘‘threatened species’’ to provide an                  denotes a present-tense condition of
                                                  (1) The outcome of a determination that                 independent basis for listing a species               being at risk of a current or future
                                                  a species is either in danger of                        in its entirety; thus there are two                   undesired event. Hence, to say a species
                                                  extinction or likely to become so in the                situations (or factual bases) under which             ‘‘is in danger’’ in an area where it no
                                                  foreseeable future throughout a                         a species would qualify for listing: A                longer exists—i.e., in its historical range
                                                  significant portion of its range; or (2)                species may be in danger of extinction                where it has been extirpated—is
                                                  what qualifies a portion of a range as                  or likely to become so in the foreseeable             inconsistent with common usage. Thus,
                                                  ‘‘significant.’’ We have examined the                   future throughout all of its range; or a              ‘‘range’’ must mean ‘‘current range,’’ not
                                                  plain language of the Act and court                     species may be in danger of extinction                ‘‘historical range.’’ A corollary of this
                                                  decisions addressing the Service’s                      or likely to become so throughout a                   logic is that lost historical range cannot
                                                  application of the SPR phrase in various                significant portion of its range. If a                constitute a significant portion of a
                                                  listing decisions, and for purposes of                  species is in danger of extinction                    species’ range where a species is in
                                                  this rulemaking we are applying the                     throughout an SPR, it, the species, is an             danger of extinction or likely to become
                                                  following interpretation for the phrase                 ‘‘endangered species.’’ The same                      so within the foreseeable future (i.e., it
                                                  ‘‘significant portion of its range’’ and its            analysis applies to ‘‘threatened species.’’           cannot be currently in danger of
                                                  context in determining whether or not a                 Therefore, the consequence of finding                 extinction in a portion of its range
                                                  species is an endangered species or a                   that a species is in danger of extinction             where it is already extirpated). While
                                                  threatened species.                                     or likely to become so throughout a                   we conclude that a species cannot be in
                                                                                                          significant portion of its range is that the          danger of extinction in its lost historical
                                                     Two district court decisions have
                                                                                                          entire species will be listed as an                   range, taking into account the effects of
                                                  evaluated whether the outcomes of the                   endangered species or threatened                      loss of historical range on a species is
                                                  Service’s determinations that a species                 species, respectively, and the Act’s                  an important component of determining
                                                  is in danger of extinction or likely to                 protections will be applied to all                    a species’ current and future status.
                                                  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 DPS                   conclude that such a biologically based               of ‘‘endangered species’’ and
                                                  under ESA Section 3(16)—meets the                       definition of ‘‘significant’’ best conforms           ‘‘threatened species.’’ This suggests that
                                                  definition of ‘‘endangered species’’ or                 to the purposes of the Act, is consistent             Congress intended that an analysis
                                                  ‘‘threatened species,’’ the species must                with judicial interpretations, and best               based on consideration of the entire
                                                  be listed in its entirety and the Act’s                 ensures species’ conservation.                        range should receive primary focus.
                                                  protections applied consistently to all                    For the purposes of this rule, we                  Thus, the first step in our assessment of
                                                  members of that species (subject to                     determine if a portion’s biological                   the status of a species is to determine its
                                                  modification of protections through                     contribution is so important that the                 status throughout all of its range.
                                                  special rules under sections 4(d) and                   portion qualifies as ‘‘significant’’ by               Depending on the status throughout all
                                                  10(j) of the Act). See Defenders, 729 F.                asking whether, without that portion,                 of its range, we will subsequently
                                                  Supp. 2d at 1222 (delisting the Northern                the species in the remainder of its range             examine whether it is necessary to
                                                  Rocky Mountain DPS of gray wolf                         warrants listing (i.e., is in danger of               determine its status throughout a
                                                  except in the Wyoming portion of its                    extinction or likely to become so in the              significant portion of its range.
                                                  range (74 FR 15123, April 2, 2009) was                  foreseeable future). Conversely, we                      Under section 4(a)(1) of the Act, we
                                                  unreasonable because the ESA                            would not consider the portion of the                 determine whether a species is an
                                                  unambiguously prohibits listing or                      range at issue to be ‘‘significant’’ if the           endangered species or threatened
                                                  protecting part of a DPS); WildEarth                    species would not warrant listing in the              species because of any of the following:
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                                                  Guardians, 2010 U.S. Dist. LEXIS                        remainder of its range even if the                    (A) The present or threatened
                                                  105253, at 15–16 (the Service’s finding                 population in that portion of the range               destruction, modification, or
                                                  that listing the Gunnison’s prairie dog in              in question became extirpated (extinct                curtailment of its habitat or range; (B)
                                                  the ‘‘montane portion’’ of its range was                locally).                                             Overutilization for commercial,
                                                  warranted (73 FR 6660, February 5,                         We interpret the term ‘‘range’’ to be              recreational, scientific, or educational
                                                  2008) was unreasonable because the                      the general geographical area within                  purposes; (C) Disease or predation; (D)
                                                  Service ‘‘cannot determine that anything                which the species is currently found,                 The inadequacy of existing regulatory
                                                  other than a species, as defined by the                 including those areas used throughout                 mechanisms; or (E) Other natural or


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                                                  45790                  Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules

                                                  manmade factors affecting its continued                 Determination of Status Throughout a                  representation because decreases in the
                                                  existence. These five factors apply                     Significant Portion of Its Range                      redundancy, resiliency, and
                                                  whether we are analyzing the species’                      Consistent with our interpretation                 representation of a species lead to
                                                  status throughout all of its range or                   that there are two independent bases for              increases in the risk of extinction for the
                                                  throughout a significant portion of its                 listing species as described above, after             species. Redundancy (having multiple
                                                  range.                                                  examining the species’ status                         resilient populations considering
                                                                                                          throughout all of its range, we now                   genetic and environmental diversity)
                                                  Astragalus Desereticus––Determination
                                                                                                          examine whether it is necessary to                    may be needed to provide a margin of
                                                  of Status Throughout All of Its Range
                                                                                                          determine its status throughout a                     safety for the species to withstand
                                                     We conducted a review of the status                                                                        catastrophic events. Resiliency describes
                                                  of Astragalus desereticus and assessed                  significant portion of its range. We must
                                                                                                                                                                the characteristics of a species that
                                                  the five factors to evaluate whether                    give operational effect to both the
                                                                                                                                                                allow it to recover from stochastic
                                                  Astragalus desereticus is in danger of                  ‘‘throughout all’’ of its range language
                                                                                                                                                                events or periodic disturbance.
                                                  extinction, or likely to become so in the               and the SPR phrase in the definitions of
                                                                                                                                                                Representation (the range of variation
                                                  foreseeable future, throughout all of its               ‘‘endangered species’’ and ‘‘threatened
                                                                                                                                                                found in a species) ensures that the
                                                  range. We also consulted with species                   species.’’ The Act, however, does not
                                                                                                                                                                species’ ability to adapt to changing
                                                  experts and land management staff with                  specify the relationship between the two
                                                                                                                                                                environments is conserved.
                                                  UDWR and UDOT who are actively                          bases for listing. As discussed above, to
                                                                                                                                                                Redundancy, resiliency, and
                                                  managing for the conservation of the                    give operational effect to the
                                                                                                                                                                representation are not independent of
                                                  species. We carefully assessed the best                 ‘‘throughout all’’ language that is
                                                                                                                                                                each other, and some characteristics of
                                                  scientific and commercial information                   referenced first in the definition,                   a species or area may contribute to all
                                                  available regarding the past, present,                  consideration of the species’ status                  three. For example, distribution across a
                                                  and future threats to the species. We                   throughout the entire range should                    wide variety of habitats is an indicator
                                                  considered all of the stressors identified              receive primary focus and we should                   of representation, but it may also
                                                  at the time of listing as well as newly                 undertake that analysis first. In order to            indicate a broad geographic distribution
                                                  identified potential stressors such as                  give operational effect to the SPR                    contributing to redundancy (decreasing
                                                  mineral development, transmission                       language, the Service should undertake                the chance that any one event affects the
                                                  lines, and climate change. As previously                an SPR analysis if the species is neither             entire species), and the likelihood that
                                                  described, the stressors considered in                  in danger of extinction nor likely to                 some habitat types are less susceptible
                                                  our five-factor analysis fall into one or               become so in the foreseeable future                   to certain threats, contributing to
                                                  more of the following categories:                       throughout all of its range, to determine             resiliency (the ability of the species to
                                                     • Stressors including residential                    if the species should nonetheless be                  recover from disturbance). None of these
                                                  development, highway widening, and                      listed because of its status in an SPR.               concepts is intended to be mutually
                                                  livestock grazing and trampling have                    Thus, we conclude that, to give                       exclusive, and a portion of a species’
                                                  not occurred to the extent anticipated at               operational effect to both the                        range may be determined to be
                                                  the time of listing, and existing                       ‘‘throughout all’’ language and the SPR               ‘‘significant’’ due to its contributions
                                                  information indicates that the extent of                phrase, the Service should conduct an                 under any one of these concepts.
                                                  impact will not change in the future.                   SPR analysis if (and only if) a species                  For the purposes of this rule, we
                                                     • Stressors including highway                        does not warrant listing according to the             determine if a portion’s biological
                                                  maintenance, livestock grazing,                         ‘‘throughout all’’ language.                          contribution is so important that the
                                                  transmission lines, and mineral                            Because we determined that                         portion qualifies as ‘‘significant’’ by
                                                  development are adequately managed                      Astragalus desereticus is not in danger               asking whether, without that portion,
                                                  through the Conservation Agreement                      of extinction or likely to become so in               the representation, redundancy, or
                                                  and measures described in the                           the foreseeable future throughout all of              resiliency of the species would be so
                                                  Biological Opinion for the TransWest                    its range, we will consider whether                   impaired that the species would have an
                                                  Express Transmission Line Project, and                  there are any significant portions of its             increased vulnerability to threats to the
                                                  existing information indicates that this                range in which the species is in danger               point that the overall species would be
                                                  management will not change in the                       of extinction or likely to become so.                 in danger of extinction or likely to
                                                  future.                                                    Although there are potentially many                become so in the foreseeable future (i.e.,
                                                     • The species is tolerant of stressors               ways to determine whether a portion of                would be an ‘‘endangered species’’ or a
                                                  including climate change, transmission                  a species’ range is ‘‘significant,’’ we               ‘‘threatened species’’). Conversely, we
                                                  lines, rarity, stochastic events, and                   conclude, as noted above, for the                     would not consider the portion of the
                                                  cumulative effects, and existing                        purposes of this rule, that the                       range at issue to be ‘‘significant’’ if there
                                                  information indicates that this tolerance               significance of the portion of the range              is sufficient resiliency, redundancy, and
                                                  will not change in the future.                          should be determined based on its                     representation elsewhere in the species’
                                                     These conclusions are supported by                   biological contribution to the                        range that the species would not be in
                                                  the available information regarding                     conservation of the species. For this                 danger of extinction or likely to become
                                                  species abundance, distribution, and                    reason, we describe the threshold for                 so throughout its range even if the
                                                  trends and are in agreement with                        ‘‘significant’’ in terms of an increase in            population in that portion of the range
                                                  information presented in our advanced                   the risk of extinction for the species. We            in question became extirpated (extinct
                                                  notice of proposed rulemaking (72 FR                    conclude that such a biologically based               locally).
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                                                  3379, January 25, 2007) and in our 5-                   definition of ‘‘significant’’ best conforms              We recognize that this definition of
                                                  year review (U.S. Fish and Wildlife                     to the purposes of the Act, is consistent             ‘‘significant’’ establishes a threshold
                                                  Service 2011). Thus, after assessing the                with judicial interpretations, and best               that is relatively high. Given that the
                                                  best available information, we conclude                 ensures species’ conservation.                        outcome of finding a species to be in
                                                  that Astragalus desereticus is not in                      We evaluate biological significance                danger of extinction or likely to become
                                                  danger of extinction throughout all of its              based on the principles of conservation               so in an SPR would be to list the species
                                                  range, nor is it likely to become so in the             biology using the concepts of                         and apply protections of the Act to all
                                                  foreseeable future.                                     redundancy, resiliency, and                           individuals of the species wherever


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                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                             45791

                                                  found, it is important to use a threshold               that portion were hypothetically                      population in an SPR is not
                                                  for ‘‘significant’’ that is robust. It would            completely extirpated. In other words,                automatically a DPS so, contrary to the
                                                  not be meaningful or appropriate to                     the portion of the range need not be so               court’s reasoning the definition of
                                                  establish a very low threshold whereby                  important that being merely in danger of              ‘‘significant’’ can be applied and result
                                                  a portion of the range can be considered                extinction in that portion or likely to               in listing a species that would not
                                                  ‘‘significant’’ even if only a negligible               become so would be sufficient to cause                otherwise be listed. In light of these
                                                  increase in extinction risk would result                the species to be in danger of extinction             flaws, we are currently seeking
                                                  from its loss. Because nearly any portion               or likely to become so in the foreseeable             reconsideration of the district court’s
                                                  of a species’ range can be said to                      future throughout all of its range.                   decision.
                                                  contribute some increment to a species’                 Instead, we evaluate whether the                         To undertake this analysis, we first
                                                  viability, use of such a low threshold                  complete extirpation (in a hypothetical               identify any portions of the species’
                                                  would require us to impose restrictions                 future) of the species in that portion                range that warrant further consideration.
                                                  and expend conservation resources                       would at that point cause the species                 The range of a species can theoretically
                                                  disproportionately to conservation                      throughout its remaining range to be in               be divided into portions in an infinite
                                                  benefit: Listing would be rangewide,                    danger of extinction or likely to become              number of ways. To identify only those
                                                  even if only a portion of the range with                so in the foreseeable future.                         portions that warrant further
                                                  minor conservation importance to the                       We are aware that the court in Center              consideration, we determine whether
                                                  species is imperiled. On the other hand,                for Biological Diversity v. Sally Jewel               there is substantial information
                                                  it would be inappropriate to establish a                found that this definition of                         indicating that there are any portions of
                                                  threshold for ‘‘significant’’ that is too               ‘‘significant’’ does not give sufficient              the species’ range: (1) That may be
                                                  high. This would be the case if the                     independent meaning to the SPR                        ‘‘significant,’’ and (2) where the species
                                                  standard were, for example, that a                      phrase. However, the court’s decision                 may be in danger of extinction or likely
                                                  portion of the range can be considered                  was based on two misunderstandings                    to become so in the foreseeable future.
                                                  ‘‘significant’’ only if threats in that                 about the interpretation of ‘‘significant.’’          We emphasize that answering these
                                                  portion result in the entire species’                   First, the court’s decision was based on              questions in the affirmative is not a
                                                  being currently in danger of extinction                 its finding that, as with the                         determination that the species is in
                                                  or likely to become so. Such a high bar                 interpretation that the court rejected in             danger of extinction or likely to become
                                                  would not give the SPR phrase                           Defenders, the definition of significant              so in the foreseeable future throughout
                                                  independent meaning, as the Ninth                       does not allow for an independent basis               a significant portion of its range—rather,
                                                  Circuit held in Defenders of Wildlife v.                for listing. However, this definition of              it is a step in determining whether a
                                                  Norton, 258 F.3d 1136 (9th Cir. 2001).                  significant is not the same as the                    more detailed analysis of the issue is
                                                                                                          definition applied in Defenders, which                required.
                                                     The definition of ‘‘significant’’ used in            looked at the current status within the                  In practice, one key part of identifying
                                                  this rule carefully balances these                      portion and asked what the effect on the              portions for further analysis may be
                                                  concerns. By setting a relatively high                  remainder of the species was. By                      whether the threats or effects of threats
                                                  threshold, we minimize the degree to                    contrast, this definition of significance             are geographically concentrated in some
                                                  which restrictions would be imposed or                  uses a hypothetical test of loss of the               way. If a species throughout its range is
                                                  resources expended that do not                          portion and asks what the effect on the               not in danger of extinction or likely to
                                                  contribute substantially to species                     remainder of the species would be; the                become so in the foreseeable future and
                                                  conservation. But we have not set the                   current status of the species in that                 the threats to the species are essentially
                                                  threshold so high that the phrase                       portion is relevant only for determining              uniform throughout its range, then the
                                                  ‘‘throughout a significant portion of its               the listing status if the portion has been            species is not likely to be in danger of
                                                  range’’ loses independent meaning.                      determined to be significant. This                    extinction or likely to become so in the
                                                  Specifically, we have not set the                       definition of ‘‘significant’’ establishes a           foreseeable future in any portion of its
                                                  threshold as high as it was under the                   lower threshold than requiring that the               range. Moreover, if any concentration of
                                                  interpretation presented by the Service                 species’ current status in that portion of            threats applies only to portions of the
                                                  in the Defenders litigation. Under that                 its range causes the species to be in                 species’ range that are not ‘‘significant,’’
                                                  interpretation, the portion of the range                danger of extinction throughout all of its            such portions will not warrant further
                                                  would have to be so important that the                  range or likely to become so in the                   consideration.
                                                  current species level of imperilment in                 foreseeable future.                                      If we identify any portions that may
                                                  the portion results in the species                         The second misunderstanding was the                be both (1) significant and (2) where the
                                                  currently being in danger of extinction                 court’s characterization of the listing               species may be in danger of extinction
                                                  or likely to become so throughout all of                determination for the African                         or likely to become so in the foreseeable
                                                  its range. Under the definition of                      coelacanth as an indication the Services              future, we engage in a more detailed
                                                  ‘‘significant’’ used in this rule, the                  have had difficulty accurately applying               analysis to determine whether these
                                                  portion of the range need not rise to                   this definition of ‘‘significant.’’                   standards are indeed met. The
                                                  such an exceptionally high level of                     However, in that listing determination,               identification of an SPR does not create
                                                  biological significance. (We recognize                  the conclusion was that the species was               a presumption, prejudgment, or other
                                                  that, if the species is imperiled in a                  not in danger of extinction throughout                determination as to whether the species
                                                  portion that rises to that higher level of              all of its range or likely to become so in            in that identified SPR is in danger of
                                                  biological significance, then we should                 the foreseeable future but it did warrant             extinction or likely to become so in the
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                                                  conclude that the species is in fact                    listing because of its status in a                    foreseeable future. We must go through
                                                  imperiled throughout all of its range,                  significant portion of its range. The only            a separate analysis to determine
                                                  and that we would not need to rely on                   reason for not listing the entire species             whether the species is in danger of
                                                  the SPR language for such a listing.)                   was that the population in that portion               extinction or likely to become so in the
                                                  Rather, under this interpretation we ask                of the range met the definition of a                  SPR. To make that determination, we
                                                  whether the species would be in danger                  distinct population segment (DPS), and                will use the same standards and
                                                  of extinction or likely to become so                    therefore the agency listed the DPS                   methodology that we use to determine
                                                  everywhere without that portion, i.e., if               instead of the entire species. The                    if a species is in danger of extinction or


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                                                  45792                  Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules

                                                  likely to become so in the foreseeable                  separate areas of the range that are                  9, would no longer apply to this species.
                                                  future throughout all of its range.                     significantly different from others or                Federal agencies would no longer be
                                                     Once we have identified portions of                  that are likely to be of greater biological           required to consult with the Service
                                                  the species’ range for further analysis,                or conservation importance than any                   under section 7 of the Act in the event
                                                  depending on the biology of the species,                other areas due to natural biological                 that activities they authorize, fund, or
                                                  its range, and the threats it faces, it                 reasons alone. Therefore, there is not                carry out may affect Astragalus
                                                  might be more efficient for us to address               substantial information that logical,                 desereticus. There is no critical habitat
                                                  the significance question first or the                  biological divisions exist within the                 designated for this species.
                                                  status question first. Thus, if we                      species’ range.
                                                  determine that a portion of the range is                   After determining there are no natural             Post-Delisting Monitoring
                                                  not ‘‘significant,’’ we do not need to                  biological divisions delineating separate                Section 4(g)(1) of the Act requires us,
                                                  determine whether the species is in                     portions of the Astragalus desereticus                in cooperation with the States, to
                                                  danger of extinction or likely to become                population, we next examined whether                  implement a monitoring program for not
                                                  so in the foreseeable future there; if we               any threats are geographically                        less than 5 years for all species that have
                                                  determine that the species is not in                    concentrated in some way that would                   been delisted due to recovery. The
                                                  danger of extinction or likely to become                indicate the species could be in danger               purpose of this requirement is to
                                                  so in a portion of its range, we do not                 of extinction, or likely to become so, in             develop a program that detects the
                                                  need to determine if that portion is                    that area. There is some difference in                failure of any delisted species to sustain
                                                  ‘‘significant.’’                                        livestock grazing between State and                   itself without the protective measures
                                                                                                          private lands, with little or no grazing              provided by the Act. If, at any time
                                                  Astragalus desereticus—Determination                                                                          during the monitoring period, data
                                                                                                          on the 67 percent of habitat occurring
                                                  of Significant Portion of Its Range                                                                           indicate that protective status under the
                                                                                                          on State lands and occasional potential
                                                     Applying the process described                       grazing on the remaining private lands.               Act should be reinstated, we can initiate
                                                  above, to identify whether any portions                 However, steep topography limits                      listing procedures, including, if
                                                  warrant further consideration, we                       grazing everywhere, and there are not                 appropriate, emergency listing.
                                                  determine whether there is substantial                  fences separating State and private                      We are proposing delisting for
                                                  information indicating that (1) the                     lands (U.S. Fish and Wildlife Service                 Astragalus desereticus based on new
                                                  portions may be significant and (2) the                 2011, p. 17). We have reviewed other                  information we have received as well as
                                                  species may be in danger of extinction                  potential threats and conclude that none              recovery actions taken. Since delisting
                                                  in those portions or likely to become so                of them are concentrated in any portion               will be due in part to recovery, we have
                                                  within the foreseeable future. To                       of the species’ range so as to affect the             prepared a draft post-delisting
                                                  identify portions that may be in danger                 representation, redundancy, or                        monitoring (PDM) plan for Astragalus
                                                  of extinction or likely to become so in                 resiliency of the species.                            desereticus. The PDM plan was
                                                  the foreseeable future, we consider                        We did not identify any portions                   prepared in coordination with the Utah
                                                  whether there is substantial information                where Astragalus desereticus may be in                Department of Natural Resources
                                                  to indicate that any threats or effects of              danger of extinction or likely to become              (UDNR) and UDWR. Monitoring will be
                                                  threats are geographically concentrated                 so in the foreseeable future. Therefore,              a joint effort between UDNR and the
                                                  in any portion of the species’ range. If                no portions warrant further                           Service. The PDM plan discusses the
                                                  the threats to the species are affecting it             consideration to determine whether the                current status of the species and
                                                  uniformly throughout its range, no                      species may be in danger of extinction                describes the methods proposed for
                                                  portion is likely to have a greater risk of             or likely to become so in the foreseeable             monitoring if the species is removed
                                                  extinction, and thus would not warrant                  future in a significant portion of its                from the Federal List of Endangered and
                                                  further consideration. Moreover, if any                 range. We conclude that the species is,               Threatened Plants. Monitoring will
                                                  concentration of threats apply only to                  therefore, not an endangered species or               occur annually for at least 5 years.
                                                  portions of the range that clearly do not               threatened species based on its status in             Given the uncertainty of potential
                                                  meet the biologically based definition of               a significant portion of its range.                   effects from climate change-related
                                                  ‘‘significant’’ (i.e., the loss of that                                                                       drought, we have developed three
                                                  portion clearly would not be expected to                Astragalus desereticus—Determination                  possible scenarios for PDM as follows.
                                                  increase the vulnerability to extinction                of Status                                             At the end of 5 years, the species’
                                                  of the entire species), those portions                    We have carefully assessed the best                 population status will be evaluated,
                                                  will not warrant further consideration.                 scientific and commercial information                 with three possible outcomes: (1) If the
                                                     We evaluated the range of Astragalus                 available regarding the past, present,                population is stable or increasing with
                                                  desereticus to determine if any area                    and future threats to Astragalus                      no new or increasing stressors, PDM
                                                  could be considered a significant                       desereticus. Because the species is not               will conclude; (2) if the population is
                                                  portion of its range. As mentioned                      in danger of extinction now or in the                 decreasing, but may be correlated with
                                                  above, one way to identify portions for                 foreseeable future throughout all of its              precipitation levels and remains above
                                                  further analyses is to identify portions                range or any significant portion of its               20,000 plants on the Wildlife
                                                  that might be of biological or                          range, the species does not meet the                  Management Area, PDM will be
                                                  conservation importance, such as any                    definition of an endangered species or                extended for an additional 3–5 years
                                                  natural, biological divisions within the                threatened species.                                   and then the population status will be
                                                  range that may, for example, provide                                                                          reevaluated; or (3) if the population is
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                                                  population redundancy or have unique                    Effects of the Rule                                   decreasing without correlation to
                                                  ecological, genetic, or other                             This proposal, if made final, would                 precipitation levels and there are fewer
                                                  characteristics. Based on the small range               revise 50 CFR 17.12(h) to remove                      than 20,000 plants on the Wildlife
                                                  of the species—approximately 345 ac                     Astragalus desereticus from the Federal               Management Area, a formal status
                                                  (140 ha) in an area 2.8 mi (4.5 km) × 0.3               List of Endangered and Threatened                     review will be initiated. The reasoning
                                                  mi (0.5 km)—we determined that the                      Plants. The prohibitions and                          behind the second and third options ties
                                                  species is a single, contiguous                         conservation measures provided by the                 back to our conclusion that current
                                                  population and that there are no                        Act, particularly through sections 7 and              information indicates the species and


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                                                                         Federal Register / Vol. 82, No. 189 / Monday, October 2, 2017 / Proposed Rules                                                 45793

                                                  genus are adapted to drought and are                    Government-to-Government                              § 17.12    [Amended]
                                                  able to re-colonize disturbed areas.                    Relationship With Tribes                              ■ 2. Section 17.12(h) is amended by
                                                  Therefore, if the population numbers are                                                                      removing the entry for ‘‘Astragalus
                                                  decreasing but may be fluctuating due to                   In accordance with the President’s                 desereticus’’ under ‘‘FLOWERING
                                                  decreased rainfall or drought, additional               memorandum of April 29, 1994,                         PLANTS’’ from the List of Endangered
                                                                                                          Government-to-Government Relations                    and Threatened Plants.
                                                  monitoring may show that the
                                                                                                          with Native American Tribal
                                                  population bounces back during the                                                                              Dated: September 7, 2017.
                                                                                                          Governments (59 FR 22951), E.O. 13175,
                                                  extended monitoring period allowed for                                                                        James W. Kurth,
                                                                                                          and the Department of the Interior’s
                                                  in scenario two. However, if the                        manual at 512 DM 2, we readily                        Acting Director, U.S. Fish and Wildlife
                                                  population is decreasing beyond what                    acknowledge our responsibility to                     Service.
                                                  might occur as a result of drought, a                   communicate meaningfully with                         [FR Doc. 2017–21073 Filed 9–29–17; 8:45 am]
                                                  formal status review would be                           recognized Federal Tribes on a                        BILLING CODE 4333–15–P
                                                  immediately initiated as described in                   government-to-government basis. In
                                                  scenario three.                                         accordance with Secretarial Order 3206
                                                    It is our intent to work with our                     of June 5, 1997 (American Indian Tribal               DEPARTMENT OF THE INTERIOR
                                                  partners towards maintaining the                        Rights, Federal-Tribal Trust
                                                                                                          Responsibilities, and the Endangered                  Fish and Wildlife Service
                                                  recovered status of Astragalus
                                                  desereticus. We seek public and peer                    Species Act), we readily acknowledge
                                                                                                          our responsibilities to work directly                 50 CFR Part 36
                                                  review comments on the draft PDM
                                                  plan, including its objectives and                      with Tribes in developing programs for                [Docket No. FWS–R7–NWRS–2017–0058;
                                                  procedures (see Public Comments,                        healthy ecosystems, to acknowledge that               FF07R00000 178 FXRS12610700000]
                                                  above), with the publication of this                    tribal lands are not subject to the same
                                                                                                          controls as Federal public lands, to                  Refuge-Specific Regulation; Public
                                                  proposed rule.                                                                                                Use; Kenai National Wildlife Refuge
                                                                                                          remain sensitive to Indian culture, and
                                                  Required Determinations                                 to make information available to Tribes.              AGENCY:   Fish and Wildlife Service,
                                                  Clarity of the Rule                                     We have determined that no Tribes will                Interior.
                                                                                                          be affected by this rule because there are            ACTION: Regulatory review.
                                                     Executive Order 12866 requires                       no tribal lands within or adjacent to
                                                  agencies to write regulations that are                  Astragalus desereticus habitat.                       SUMMARY:    The U.S. Fish and Wildlife
                                                  easy to understand. We invite your                                                                            Service (FWS) intends to initiate a
                                                                                                          References Cited
                                                  comments on how to make this proposal                                                                         rulemaking process that will consider
                                                  easier to understand including answers                    A complete list of all references cited             changes to public use regulations that
                                                  to questions such as the following: (1)                 in this proposed rule is available at                 are applicable to Kenai National
                                                  Is the discussion in the SUPPLEMENTARY                  http://www.regulations.gov at Docket                  Wildlife Refuge and that were
                                                  INFORMATION section of the preamble                     No. FWS–R6–ES–2016–0013, or upon                      promulgated on May 5, 2016.
                                                  helpful to your understanding of the                    request from the Utah Ecological                      DATES: October 2, 2017.
                                                  proposal? (2) Does the proposal contain                 Services Field Office (see ADDRESSES).                ADDRESSES: The final rule that is the
                                                  technical language or jargon that                                                                             subject of this document may be found
                                                                                                          Authors                                               at www.regulations.gov in Docket No.
                                                  interferes with its clarity? (3) Does the
                                                  format of the proposal (groupings and                     The primary authors of this proposed                FWS–R7–NWRS–2017–0058.
                                                  order of sections, use of headings,                     rule are staff members of the Service’s               FOR FURTHER INFORMATION CONTACT:
                                                  paragraphing, etc.) aid or reduce its                   Mountain Prairie Region and the Utah                  Ryan Mollnow, Division of Natural
                                                  clarity? What else could we do to make                  Ecological Services Field Office (see                 Resources Chief, National Wildlife
                                                  the proposal easier to understand? Send                 ADDRESSES and FOR FURTHER                             Refuge System—Alaska, 1011 E. Tudor
                                                  a copy of any comments on how we                        INFORMATION CONTACT).                                 Road, Anchorage, AK 99503; telephone:
                                                  could make this rule easier to                                                                                (907) 786–3326; facsimile: (907) 786–
                                                                                                          List of Subjects in 50 CFR Part 17                    3901; email: ryan_mollnow@fws.gov.
                                                  understand to: Office of Regulatory
                                                  Affairs, Department of the Interior,                      Endangered and threatened species,                  SUPPLEMENTARY INFORMATION: On May 5,
                                                  Room 7229, 1849 C Street NW.,                           Exports, Imports, Reporting and                       2016, the FWS published a final rule to
                                                  Washington, DC 20240. You may also                      recordkeeping requirements,                           amend its regulations in title 50 of the
                                                  email the comments to this address:                     Transportation.                                       Code of Federal Regulations (CFR) in
                                                  Exsec@ios.doi.gov.                                                                                            part 36 regarding public use of Kenai
                                                                                                          Proposed Regulation Promulgation                      National Wildlife Refuge (81 FR 27030).
                                                  National Environmental Policy Act                                                                             The final rule became effective on June
                                                                                                             Accordingly, we hereby propose to
                                                                                                                                                                6, 2016. The provisions of the final rule:
                                                    We have determined that                               amend part 17, subchapter B of chapter                   (1) amended regulations regarding use
                                                  environmental assessments and                           I, title 50 of the Code of Federal                    of aircraft, motorboats, motorized
                                                  environmental impact statements, as                     Regulations, as set forth below:                      vehicles, and snowmobiles;
                                                  defined under the authority of the                                                                               (2) codified historic restrictions on
sradovich on DSK3GMQ082PROD with PROPOSALS




                                                  National Environmental Policy Act of                    PART 17—ENDANGERED AND
                                                                                                                                                                hunting and trapping within the Skilak
                                                  1969 (42 U.S.C. 4321 et seq.), need not                 THREATENED WILDLIFE AND PLANTS
                                                                                                                                                                Wildlife Recreation Area (WRA)
                                                  be prepared in connection with                                                                                consistent with the 2007 Skilak WRA
                                                  regulations pursuant to section 4(a) of                 ■ 1. The authority citation for part 17               final revised management plan;
                                                  the Act. We published a notice outlining                continues to read as follows:                            (3) expanded a prohibition on the
                                                  our reasons for this determination in the                 Authority: 16 U.S.C. 1361–1407; 1531–               discharge of firearms to include areas of
                                                  Federal Register on October 25, 1983                    1544; and 4201–4245; unless otherwise                 intensive public use along the Russian
                                                  (48 FR 49244).                                          noted.                                                and Kenai Rivers;


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Document Created: 2017-09-30 04:40:51
Document Modified: 2017-09-30 04:40:51
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 and 12-month petition finding; request for comments.
DatesWe will accept comments received or postmarked on or before December 1, 2017. Comments submitted electronically using the Federal
ContactLarry Crist, Field Supervisor, telephone: 801-975-3330. Direct all questions or requests for additional information to: DESERET MILKVETCH QUESTIONS, U.S. Fish and Wildlife Service; Utah Ecological Services Field Office; 2369 Orton Circle, Suite 50; West Valley City, Utah 84119. Individuals who are hearing-impaired or speech-impaired may call the Federal Relay Service at 800-877-8337 for TTY assistance.
FR Citation82 FR 45779 
RIN Number1018-BB41
CFR AssociatedEndangered and Threatened Species; Exports; Imports; Reporting and Recordkeeping Requirements and Transportation

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