83_FR_14253 83 FR 14189 - Endangered and Threatened Wildlife and Plants; Threatened Species Status for Yellow Lance

83 FR 14189 - Endangered and Threatened Wildlife and Plants; Threatened Species Status for Yellow Lance

DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service

Federal Register Volume 83, Issue 64 (April 3, 2018)

Page Range14189-14198
FR Document2018-06735

We, the U.S. Fish and Wildlife Service (Service), determine threatened species status under the Endangered Species Act of 1973, as amended (ESA or Act), for yellow lance (Elliptio lanceolata), a mussel species from Maryland, Virginia, and North Carolina. The effect of this regulation will be to add this species to the List of Endangered and Threatened Wildlife.

Federal Register, Volume 83 Issue 64 (Tuesday, April 3, 2018)
[Federal Register Volume 83, Number 64 (Tuesday, April 3, 2018)]
[Rules and Regulations]
[Pages 14189-14198]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-06735]


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DEPARTMENT OF THE INTERIOR

Fish and Wildlife Service

50 CFR Part 17

[Docket No. FWS-R4-ES-2017-0017; 4500030113]
RIN 1018-BB45


Endangered and Threatened Wildlife and Plants; Threatened Species 
Status for Yellow Lance

AGENCY: Fish and Wildlife Service, Interior.

ACTION: Final rule.

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SUMMARY: We, the U.S. Fish and Wildlife Service (Service), determine 
threatened species status under the Endangered Species Act of 1973, as 
amended (ESA or Act), for yellow lance (Elliptio lanceolata), a mussel 
species from Maryland, Virginia, and North Carolina. The effect of this 
regulation will be to add this species to the List of Endangered and 
Threatened Wildlife.

DATES: This rule is effective May 3, 2018.

ADDRESSES: This final rule is available on the internet at http://www.regulations.gov in Docket No. FWS-R4-ES-2017-0017 and https://www.fws.gov/southeast/. Comments and materials we received, as well as 
supporting documentation we used in preparing this rule, are available 
for public inspection at http://www.regulations.gov. Comments, 
materials, and documentation that we considered in this rulemaking will 
be available by appointment, during normal business hours at: U.S. Fish 
and Wildlife Service, Raleigh Ecological Services Field Office, 551F 
Pylon Drive, Raleigh, NC 27606; 919-856-4520.

FOR FURTHER INFORMATION CONTACT: Pete Benjamin, Field Supervisor, U.S. 
Fish and Wildlife Service, Raleigh Ecological Services Field Office, 
551F Pylon Drive, Raleigh, NC 27606 or telephone 919-856-4520. Persons 
who use a telecommunications device for the deaf (TDD) may call the 
Federal Relay Service at 800-877-8339.

SUPPLEMENTARY INFORMATION:

Supporting Documents

    A species status assessment (SSA) team prepared an SSA report for 
the yellow lance. The SSA team was

[[Page 14190]]

composed of Service biologists, in consultation with other species 
experts. The SSA report represents a compilation of the best scientific 
and commercial data available concerning the status of the species, 
including the impacts of past, present, and future factors (both 
negative and beneficial) affecting the yellow lance. The SSA report 
underwent independent peer review by scientists with expertise in 
mussel biology, habitat management, and stressors (factors negatively 
affecting the species) to the species. The SSA report, proposed rule, 
and other materials relating to this rule can be found on the Southeast 
Region website at https://www.fws.gov/southeast/ and at http://www.regulations.gov under Docket No. FWS-R4-ES-2017-0017.

Previous Federal Action

    Please refer to the proposed listing rule for the yellow lance (82 
FR 16559; April 5, 2017) for a detailed description of previous Federal 
actions concerning this species.

Background

    Please refer to the proposed listing rule for the yellow lance and 
the SSA Report for a full summary of species information. Both are 
available on the Southeast Region website at https://www.fws.gov/southeast/ and at http://www.regulations.gov under Docket No. FWS-R4-
ES-2017-0017.

Summary of Changes From the Proposed Rule

    In preparing this final rule, we reviewed and fully considered 
comments from the public on the proposed rule (see below). No 
substantive changes were made to this final rule after consideration of 
the comments we received. The SSA report was updated (to version 1.3) 
based on comments and some additional information provided; many small, 
non-substantive clarifications and corrections were made throughout the 
SSA document, including ensuring consistency of colors on maps, 
providing details about data sources used, updating references in the 
description of threats section, and minor clarifications. However, the 
information we received in response to the proposed rule did not change 
our determination that the yellow lance is a threatened species.

Summary of Comments and Recommendations

    In the proposed rule published on April 5, 2017 (82 FR 16559), we 
requested that all interested parties submit written comments on the 
proposal by June 5, 2017. We also contacted appropriate Federal and 
State agencies, scientific experts and organizations, and other 
interested parties and invited them to comment on the proposal. We did 
not receive any requests for a public hearing. All substantive 
information provided during the comment period has either been 
incorporated directly into this final determination or addressed below.

Peer Reviewer Comments

    In accordance with our peer review policy published on July 1, 1994 
(59 FR 34270), and our August 22, 2016, memorandum updating and 
clarifying the role of peer review actions under the Act, we solicited 
expert opinion from 13 knowledgeable individuals with scientific 
expertise that included familiarity with yellow lance and its habitat, 
biological needs, and threats. We received responses from seven of the 
peer reviewers.
    We reviewed all comments received from the peer reviewers for 
substantive issues and new information regarding the information 
contained in the SSA Report. The peer reviewers generally concurred 
with our methods and conclusions and provided additional information, 
clarifications, and suggestions to improve the final SSA Report. Peer 
reviewer comments are addressed in the following summary and were 
incorporated into the final SSA Report as appropriate.
    (1) Comment: One peer reviewer recommended that Natural Heritage 
Element Occurrences should have been used as metrics to delineate 
populations instead of river basins and hydrologic unit code 10 (HUC10) 
management units (MUs).
    Our Response: The use of river basins and MUs as metrics was 
suggested by the Yellow Lance Technical Team. This species expert 
group, which included Natural Heritage biologists, did not think the 
element occurrence was appropriate for this analysis, because element 
occurrences are too fine a scale and represent where individuals have 
been documented rather than capture the extent of the suitable habitat. 
The river basin level by itself is too coarse of a scale at which to 
estimate the condition of factors influencing resiliency, so 
populations were further delineated using MUs. MUs were defined as one 
or more HUC10 watersheds that species experts identified as most 
appropriate for assessing population-level resiliency, because it 
better captures the extent of suitable habitat for areas where yellow 
lance are found.
    (2) Comment: One peer reviewer suggested we use data from flow 
gauges to measure water availability for the time period identified.
    Our Response: Gauge data are not consistently available for all 
locations in the analysis. Drought maps were used to give an overall 
(rangewide) impression about climate-related influences on the 
population.
    (3) Comment: One peer reviewer wanted more information on how the 
Active River Areas (ARAs) were delineated.
    Our Response: An ARA is a pre-defined/delineated shapefile made 
available by The Nature Conservancy (TNC). The ARA framework is a 
spatially explicit characterization? of rivers that includes both the 
channels and the riparian lands necessary to accommodate the physical 
and ecological processes associated with the river system. The ARA 
includes material contribution areas, meander belts, floodplains, 
terraces, and riparian wetlands. For more information, see: https://www.conservationgateway.org/ConservationByGeography/NorthAmerica/UnitedStates/edc/Documents/ED_freshwater_ARA_NE2008.pdf.
    (4) Comment: One peer reviewer stated that we should have completed 
a PECE analysis on the conservation management actions.
    Our Response: The Policy for the Evaluation of Conservation Efforts 
(PECE) is a policy that provides guidance on how to evaluate 
conservation efforts that have not yet been implemented or have not yet 
demonstrated effectiveness. The management actions described in the SSA 
Report do not fall under these criteria because they are past and 
present conservation management actions.
    (5) Comment: One peer reviewer noted that not all watersheds are at 
equal risk of development.
    Our Response: We understand that development of watersheds varies 
across the range of the species. To capture this variation, we used the 
SLEUTH BAU model of urban growth in the Southeast U.S., which looks at 
patterns of past development and projects similar spatial pattern of 
development into the future. We believe this model constitutes the best 
available information concerning the future development projections 
within the range of the yellow lance.

Comments From States

    (6) Comment: The North Carolina Wildlife Commission and other 
commenters requested that the Service

[[Page 14191]]

implement a rule under section 4(d) of the Act in order to provide for 
species conservation and other activities resulting in incidental take.
    Our Response: We have not proposed a section 4(d) rule at this 
time, but we plan to propose a section 4(d) rule in the future to 
tailor the take prohibitions of the Act to those necessary and 
advisable to provide for the conservation of the yellow lance.

Public Comments

    (7) Comment: Several commenters stated that the Service did not 
acknowledge the benefits of high rates of compliance with forestry Best 
Management Practices (BMPs), and instead focused on the relatively rare 
instances of failure to use BMPs. While the Service correctly 
acknowledges that silvicultural activities performed according to BMPs 
``can retain adequate conditions for aquatic ecosystems,'' the 
remainder of the Service's discussion regarding BMPs focuses on those 
rare circumstances when BMPs are not implemented.
    Our Response: We included forest cover within the ARA as one of the 
main contributions to the habitat element of instream substrate, thus 
indicating that well-managed forests are important contributors to 
maintaining habitat occupied by the species. The SSA Report notes that 
BMPs were not always common practice, but that those instances of 
noncompliance today are rare (SSA, p. 52). In Chapter 4, the SSA Report 
describes the many factors that contribute to the viability of the 
species, and the instances of failure to use BMPs could impact those 
factors and thus contribute to species decline, especially if those 
noncompliance areas are within the few known locations where the 
species persists. If BMPs associated with forestry practices are not 
followed, stream temperatures can increase, sedimentation can lower 
water quality, and associated roads can lead to increased sedimentation 
(references provided in SSA, pp. 50-51). So while improper 
implementation is rare, it can have drastic negative effects on 
sensitive aquatic species like freshwater mussels. The intent of 
Section 4.5 of the SSA Report was to discuss those circumstances when 
BMPs are not used and how that could affect the species' viability.
    (8) Comment: One commenter stated that not implementing a BMP does 
not equate to a water quality risk and, therefore, also does not equate 
to noncompliance with State of North Carolina Forest Practice 
Guidelines Related to Water Quality standards (FPG). The commenter 
noted that the text written by the Service (``Many forestry activities 
are not required to obtain a CWA [Clean Water Act] 404 permit, as 
silviculture activities (such as harvesting for the production of fiber 
and forest products) are exempted'') lead the reader to believe that 
this exemption allows forestry activities to create a water quality 
problem without consequence.
    Our Response: The statement from the SSA quoted in the comment 
above was not intended to indicate that there was no recourse for such 
action, but rather to indicate that many activities are exempted from 
permits. We clarified the language in the report. While we understand 
that not every BMP relates to water quality protections, many of them 
do contribute to water quality and habitat quality. As indicated in 
Table 4-3 of the SSA (p. 52), the BMP with one of the lowest 
implementation rates is one designed to reduce the impacts of stream 
crossings. Lack of adherence to or compliance with stream crossing BMPs 
creates a water quality risk, because improperly constructed culverts 
at stream crossings act as barriers to host fish (and, therefore, the 
yellow lance). This scenario leads to loss of access to quality 
habitat, as well as fragmented habitat and a loss of connectivity 
between populations of the yellow lance. This situation can limit both 
genetic exchange and recolonization opportunities.
    (9) Comment: One commenter stated that references not from the 
southeastern United States should be removed.
    Our Response: In accordance with section 4 of the Act, we are 
required to make listing decisions on the basis of the best scientific 
and commercial data available. Further, our Policy on Information 
Standards under the Act (published in the Federal Register on July 1, 
1994 (59 FR 34271)), the Information Quality Act (section 515 of the 
Treasury and General Government Appropriations Act for Fiscal Year 2001 
(Pub. L. 106-554; H.R. 5658)), and our associated Information Quality 
Guidelines (www.fws.gov/informationquality/), provide criteria and 
guidance, and establish procedures to ensure that our decisions are 
based on the best scientific data available. We determined that 
references from outside the southeastern United States are valid 
sources of information relevant to the listing decision. The 
information provided in those references is important to consider 
because it informs how stream temperature is affected after 
deforestation, and how biota in the stream are subsequently impacted. 
Use of these sources conforms with our information standards because it 
is recent, relevant work that relates to the point being made regarding 
stream temperatures, that removal of vegetation alongside streams 
increases water temperature in the stream.
    (10) Comment: One commenter stated that the proposed rule and SSA 
Report do not meet the information standards of the Interagency Policy 
on Information Standards adopted by the Service. Both documents 
evaluate a subset of the available data, fail to perform an in-depth 
analysis of the data that is evaluated, define populations 
inaccurately, present inaccurate analyses and conclusions, and provide 
a limited view of the potential future scenarios relative to the 
viability of the species. Under the ESA and associated Federal policies 
and guidelines, the rule and SSA Report do not provide sufficient 
scientific and technical information to support decision-making 
relative to the proposed listing of the yellow lance.
    Our Response: The commenter did not provide any contradictory 
science or available data that we did not consider. We used an 
integrated and conservation-focused analytical approach, the Species 
Status Assessment Framework, to assess the species' biological status 
for the purpose of informing decisions and activities under the Act. As 
discussed under Comment 9 above, our information quality standards 
require our biologists, to the extent consistent with the Act and with 
the use of the best scientific and commercial data available, to use 
primary and original sources of information as the basis for 
determinations to list a species under the Act. The most comprehensive, 
current data sets from all known State agency (including museum) 
databases were used, and references to current data usage are in the 
text of the SSA (pp. 12 and 22). We used both the peer-reviewed SLEUTH 
urbanization model and the Intergovernmental Panel on Climate Change 
(IPCC) model to analyze a wide range of possible future scenarios, and 
our methods and analyses underwent peer review by independent species 
experts.
    This final rule and the final SSA report rely on published 
articles, unpublished research, expert habitat modeling, comprehensive 
digital data, and the expert opinion of subject biologists to determine 
the listing status for the yellow lance. Additional information was 
added throughout the SSA to detail data sources used for analysis. The 
most comprehensive, current data sets from all known State agency 
(including museum) databases

[[Page 14192]]

were used, and references to current data usage are in the text of the 
SSA (pp. 12 and 22). Survey summaries and detailed maps are provided in 
Appendix B. Also, in accordance with the Service's peer review policy 
(59 FR 34270, July 1, 1994), we solicited peer review from 
knowledgeable individuals with scientific expertise that included 
familiarity with the species, the geographic region in which the 
species occurs, and conservation biology principles. Additionally, we 
requested comments or information from other concerned governmental 
agencies, the scientific community, industry, and any other interested 
parties concerning the proposed rule. Comments and information we 
received helped inform this final rule.
    (11) Comment: One commenter stated that the analysis weighed the 
species assessment towards factors that may restrict future expansion 
of the species' distribution rather than factors that pose a direct 
threat to the survival of existing or future mussels.
    Our Response: It is appropriate for us to consider factors that 
would restrict future expansions, especially for a species that is 
currently reduced from its historical range. Chapter 4 of the SSA 
Report describes how stressors pose a threat or benefit to the survival 
of existing mussels, some (i.e., barriers), but not all, may restrict 
future expansion of the species.
    (12) Comment: One commenter stated that the proposed rule and the 
SSA Report present conflicting statements regarding stressors that 
affect the species. The first paragraph of Section 5.1 states that the 
main drivers for change in the future condition analysis is human 
population growth and increased urbanization. However, the summary 
Section 4.9 of the SSA Report and the Risk Factors for the Yellow Lance 
in the Federal Register document state that ``the largest threats to 
the future viability of the species relate to habitat degradation from 
stressors influencing water quality, water quantity, instream habitat, 
and habitat connectivity.''
    Our Response: The statements do not conflict with each other. Both 
human population growth and changes in land use (specifically in 
development land use patterns), including increased urbanization, are 
stressors that result in habitat degradation (which influences water 
quality, water quantity, instream habitat, and habitat connectivity) as 
described in section 4.1 of the SSA Report.
    (13) Comment: The future condition analysis in the SSA should 
consider additional factors influencing viability, not only the impacts 
of urbanization.
    Our Response: We considered six factors influencing viability of 
the yellow lance as part of the future condition analysis. Habitat 
conditions, water quality, water quantity, species condition, and 
climate were also considered. The descriptions can be found in Table 
5.1 of the SSA.
    (14) Comment: The future conditions evaluation fails to consider 
the net positive impact of current and future National Pollutant 
Discharge Elimination System (NPDES) stormwater programs, Department of 
Transportation (DOT) design standards, agricultural practices, land 
controls, riparian buffers and land conservation areas, and applicable 
water quality criteria to protect designated uses of waters.
    Our Response: The current condition analysis includes evaluation of 
all current practices and land uses that may impact yellow lance 
(positive and negative), as indicated in the data used, including 
range-wide water quality and land use data (i.e., agricultural 
practices, buffers, and water quality classifications were all included 
in the analyses). See SSA Report pages/sections 23-29. Positive and 
negative effects of these actions are incorporated in the analysis and 
carried through when modeling potential future conditions. Any 
practices above and beyond what is currently in practice would need to 
be analyzed as future efforts. According to our Policy for the 
Evaluation of Conservation Efforts (68 FR 15100, March 28, 2003), we 
only consider future efforts that are formalized and sufficiently 
certain to be implemented and effective.
    (15) Comment: One commenter stated that the proposed rule and the 
SSA Report incorrectly claim that excessive surface water use for 
agricultural irrigation has an adverse impact on the amount of water 
available for downstream sensitive areas during low-flow months. 
According to the commenter, agricultural irrigation in North Carolina 
is not excessive.
    Our Response: The SSA Report states: ``If the water withdrawal is 
excessive (usually over 10,000 gal/day) or done illegally (without 
permit if needed, or during dry time of year, or in areas where 
sensitive aquatic species occur without consultation), this may cause 
impacts to the amount of water available to downstream sensitive areas 
during low flow months, resulting in dewatering of channels and 
stranding of mussels.'' [emphasis added]. Both surface and ground water 
withdrawals can affect base flows in streams during dry times of year. 
In response to the comment, we amended the SSA Report to clarify this 
point.
    (16) Comment: One commenter recommended that, along with the 
proposed listing, the Service identify recovery criteria, including the 
development of conservation strategies and incidental take permit 
mechanisms, prior to the listing becoming effective.
    Our Response: Recovery criteria (and conservation strategies) are 
developed as part of the recovery planning process, which occurs after 
the species has been listed under the Act. The Service intends to 
develop and make available for public review a recovery outline within 
30 days of publication of this final rule. Once the final listing is 
effective, project proponents can apply for incidental take permits 
pursuant to section 10 of the Act (refer to page 30 below). A habitat 
conservation plan or ``HCP'' must accompany an application for an 
incidental take permit. The habitat conservation plan associated with 
the permit ensures that the effects of the authorized incidental take 
are adequately minimized and mitigated.
    (17) Comment: One commenter expressed concern that endangered 
species listings would interfere with the Environmental Protection 
Agency's established Framework for Water Quality Standards Development. 
The commenter stated that environmental stressors and habitat 
components that are developed may unnecessarily and inappropriately 
conflict with water quality standards (WQS).
    Our Response: We are required by section 4 of the Act to make a 
listing decision based solely on the best scientific and commercial 
data available. However, since a primary goal of the Clean Water Act is 
to protect the health of waters of the United States for all designated 
uses, including the protection of aquatic life, and since a primary 
goal of the Act is to provide for the conservation of species that are 
endangered or threatened, including the conservation of the ecosystems 
on which they depend, listed aquatic species and the river systems on 
which they depend are protected under both laws. There should be no 
conflict between the protections of the two statutes.
    (18) Comment: One commenter opined that the SSA Report incorrectly 
concludes that pollutants harmful to the yellow lance impair water 
quality throughout the species' current range, and that the Service has 
not coordinated with the Environmental Protection Agency (EPA) and the 
State to determine whether they actually do.

[[Page 14193]]

    Our Response: The SSA Report (p. 44) explains that water quality 
criteria do not currently exist for many of the parameters for which 
freshwater mussels have been demonstrated to be sensitive. For 
instance, even after EPA revised the criteria for ammonia, after 
incorporating the toxicity data for sensitive freshwater mollusks, the 
States have yet to update their WQS through processes such as the 
Triennial Review. Since WQS for pollutants have not been promulgated by 
the States within the range of the yellow lance, those pollutants are 
still deemed to be potentially harmful to the survival and reproduction 
of the species.
    (19) Comment: One commenter expressed concern that portions of the 
species' range in the proposal may be based on data that are both 
outdated and possibly incorrectly identify the yellow lance as present 
in those drainages.
    Our Response: All survey records from Virginia were reviewed by 
both the State malacologist and the Natural Heritage Program biologist 
to verify correct identity of species in all survey locations. Current 
occupancy was described as those areas with detections in the past 10 
years (2005-2015, based on when data were analyzed). Survey data older 
than 15 years was included to indicate trends over time, but not 
analyzed as part of the Current Conditions (see Figure 3-2 on p. 12 of 
the SSA Report).

Summary of Biological Status and Threats

    Please refer to Chapter 4 of the SSA Report for a more detailed 
discussion of the factors affecting the yellow lance (see ADDRESSES). 
Section 4 of the Act (16 U.S.C. 1533), and its implementing regulations 
in title 50 of the Code of Federal Regulations at 50 CFR part 424, set 
forth the procedures for adding species to the Federal Lists of 
Endangered and Threatened Wildlife and Plants. Under section 4(a)(1) of 
the Act, we may list a species based on (A) The present or threatened 
destruction, modification, or curtailment of its habitat or range; (B) 
overutilization for commercial, recreational, scientific, or 
educational purposes; (C) disease or predation; (D) the inadequacy of 
existing regulatory mechanisms; or (E) other natural or manmade factors 
affecting its continued existence. Our assessment evaluated the 
biological status of the species and threats affecting its continued 
existence. It was based upon the best available scientific and 
commercial data and the expert opinion of the SSA team members.

Current Condition of Yellow Lance

    To evaluate the current and future viability of the yellow lance, 
we assessed a range of conditions to allow us to consider the species' 
resiliency, representation, and redundancy. The historical range of the 
yellow lance included streams and rivers in the Atlantic Slope 
drainages from the Patuxent River Basin south to the Neuse River Basin, 
with the documented historical distribution in 12 Management Units 
(MUs) within eight former populations. The yellow lance is presumed 
extirpated from 25 percent (3/12) of the historically occupied MUs. Of 
the remaining nine occupied MUs, 17 percent are estimated to have high 
resiliency, 8 percent moderate resiliency, and 67 percent low 
resiliency. At the population level, the overall condition of one of 
the eight populations (the Tar population) is estimated to have 
moderate resiliency, while the remaining six extant populations 
(Patuxent, Rappahannock, York, James, Chowan, and Neuse populations) 
are characterized by low resiliency. The Potomac population is presumed 
to be extirpated. An assessment of the habitat elements finds that 86 
percent of streams that remain part of the current species' range are 
estimated to be in low or very low condition.
    Once known to occupy streams in three physiographic regions 
(Mountain, Piedmont, and Coastal Plain), the species has lost 
occurrences in each physiographic region compared with historical 
occurrences, although it is still represented by at least one 
population in each region. We estimated that the yellow lance currently 
has reduced adaptive potential relative to historical potential due to 
decreased representation in seven river basins and three physiographic 
regions. The species retains most of its known river basin variability, 
but its distribution has been greatly reduced in the Rappahannock, 
York, Chowan, and Neuse River populations. In addition, compared to 
historical distribution, the species has declined by 70 percent in the 
Coastal Plain region and by approximately 50 percent in both the 
Piedmont and the Mountain regions. Latitudinal variability is also 
reduced, as much of the species' current distribution has contracted 
and is largely limited to the southern portions of its historical 
range, primarily in the Tar River Basin.
    While the overall range of the yellow lance has not changed 
significantly, the remaining occupied portions of the range have become 
constricted within each basin and the species is largely limited to the 
southern portions of its historical range. One population (the Tar 
population) was estimated to be moderately resilient, but all other 
extant populations exhibit low resiliency. Redundancy was estimated as 
the number of historically occupied MUs that remain currently occupied. 
The species retains redundancy (albeit in low condition) within the 
Rappahannock, Chowan, and Neuse River populations, and one population 
(Tar) has multiple moderate or highly resilient management units. 
Overall, the species has decreased redundancy across its range due to 
an estimated 57 percent reduction in occupancy compared to historical 
levels.
    The largest threats to the future viability of the yellow lance are 
habitat degradation from stressors influencing water quality, water 
quantity, instream habitat, and habitat connectivity. The stressors we 
identified that have led to the degradation of the yellow lance habitat 
include development, agricultural practices, forest management, 
barriers such as dams and impoundments, and invasive species. A brief 
summary of these primary stressors is presented below; for a full 
description of these stressors, refer to chapter 4 of the SSA report 
for the yellow lance.
    Development: Development refers to urbanization of the landscape, 
including (but not limited to) land conversion for urban and commercial 
use, infrastructure (roads, bridges, utilities), and urban water uses 
(water supply reservoirs, wastewater treatment, etc.). The effects of 
urbanization may include alterations to water quality, water quantity, 
and habitat (Factor A). Yellow lance adults require clear, flowing 
water with a temperature less than 35 degrees Celsius ([deg]C) (95 
degrees Fahrenheit ([deg]F)) and a dissolved oxygen greater than 3 
milligrams per liter (mg/L). Juveniles require very specific 
interstitial chemistry to complete that life stage: Low salinity 
(similar to 0.9 parts per thousand (ppt)), low ammonia (similar to 0.7 
mg/L), low levels of copper and other contaminants, and dissolved 
oxygen greater than 1.3 mg/L.
    Impervious surfaces associated with development negatively affect 
water quality when pollutants that accumulate on impervious surfaces 
are washed directly into the streams during storm events. Storm water 
runoff affects water quality parameters such as temperature, pH, 
dissolved oxygen, and salinity, which in turn alters the water 
chemistry and could make it unsuitable for the yellow lance. 
Concentrations of contaminants, including nitrogen, phosphorus, 
chloride, insecticides,

[[Page 14194]]

polycyclic aromatic hydrocarbons, and personal care products, increase 
with urban development.
    Urban development can lead to increased variability in streamflow, 
typically increasing the amount of water entering a stream after a 
storm and decreasing the time it takes for the water to travel over the 
land before entering the stream. Stream habitat is altered either 
directly via channelization or clearing of riparian areas, or 
indirectly via high streamflows that reshape the channel and cause 
sediment erosion. Impervious surfaces associated with increased 
development cause rain water to accumulate and flow rapidly into storm 
drains, thereby becoming superheated, which can stress or kill these 
mussel species when the superheated water enters streams. Pollutants 
like gasoline, oil, and fertilizers are also washed directly into 
streams and can kill mussels and other aquatic organisms. The large 
volumes and velocity of water combined with the extra debris and 
sediment entering streams following a storm can stress, displace, or 
kill the yellow lance, and the host fish species upon which it depends.
    A further risk of urbanization is the accompanying road development 
that often results in improperly constructed culverts at stream 
crossings. These culverts act as barriers, either as flow through the 
culvert varies significantly from the rest of the stream, or if the 
culvert ends up being perched above the stream bed, and host fish (and, 
therefore, the yellow lance) cannot pass through them. This scenario 
leads to loss of access to quality habitat, as well as fragmented 
habitat and a loss of connectivity between populations of the yellow 
lance. This situation can limit both genetic exchange and 
recolonization opportunities.
    Significant portions of all of the river basins within the range of 
the yellow lance are affected by development, from 7 percent in the Tar 
River basin to 25 percent in the Patuxent River basin (based on the 
2011 National Land Cover Data). The Neuse River basin in North Carolina 
contains one-sixth of the entire State's population, indicating heavy 
development pressure on the watershed. The Nottoway MU (in the Chowan 
population) contains 155 impaired stream miles, 4 major discharges, 32 
minor discharges, and over 3,000 road crossings, affecting the quality 
of the habitat for the yellow lance. The Potomac River basin is 
currently made up of 12.7 percent impervious surfaces, changing natural 
streamflow, reducing appropriate stream habitat, and decreasing water 
quality throughout the population. For complete data on all of the 
populations, refer to appendix D of the SSA report.
    Agricultural Practices: The main impacts to the yellow lance from 
agricultural practices are from nutrient pollution and water pumping 
for irrigation (Factor A). Fertilizers and animal manure, which are 
both rich in nitrogen and phosphorus, are the primary sources of 
nutrient pollution from agricultural sources. Excess nutrients impact 
water quality when it rains or when water and soil containing nitrogen 
and phosphorus wash into nearby waters or leach into the water table/
ground waters causing algal blooms. These algal blooms can harm 
freshwater mussels by suffocating host fish and decreasing available 
oxygen in the water column.
    It is common practice to pump water for irrigation from adjacent 
streams or rivers into a reservoir pond, or to spray the stream or 
river water directly onto crops. If the water withdrawal is excessive 
or done illegally, it reduces the amount of water available to 
downstream sensitive areas during low-flow months, resulting in 
dewatering of channels and stranding of mussels, leading to desiccation 
and death. In the Rappahannock River basin, for example, the upper 
watershed supports largely agricultural land uses. Sedimentation is a 
problem in the upper watershed, as stormwater runoff from the major 
tributaries (Rapidan and Hazel rivers) leaves the Rappahannock River 
muddy even after minor storm events. According to the 2011 National 
Land Cover Data, all of the watersheds within the range of the yellow 
lance are affected by agricultural land uses, most with 20 percent or 
more of the watershed having been converted for agricultural use.
    Forest Management: Silviculture activities when performed according 
to strict forest practices guidelines (FPGs) or best management 
practices (BMPs) can retain adequate conditions for aquatic ecosystems; 
however, when FPGs/BMPs are not followed, silviculture can contribute 
to the myriad of stressors facing aquatic systems in the Southeast. 
Both small- and large-scale forestry activities have a significant 
impact upon the physical, chemical, and biological characteristics of 
adjacent small streams. The clearing of large areas of forested 
wetlands and riparian systems can eliminate shade provided by these 
canopies, exposing streams to more sunlight and increasing the in-
stream water temperature. The increase in stream temperature and light 
after deforestation alters the macroinvertebrate and other aquatic 
species richness and abundance composition in streams. As stated above, 
the yellow lance is sensitive to changes in temperature, and sustained 
temperature increases stress and possibly lead to mortality for the 
species.
    Forestry activities often include the construction of logging roads 
through the riparian zone, which can directly degrade nearby stream 
environments (Aust et al. 2011, p. 123). Roads can cause localized 
sedimentation, as well as sedimentation traveling downstream into more 
sensitive habitats. These effects lead to stress and mortality for the 
yellow lance, as discussed in ``Development,'' above. While BMPs are 
currently widely adhered to, they were not always common practice in 
the past. The average implementation rate of BMPs in the southeast 
states is at 92 percent. While improper implementation is rare, it can 
have drastic negative effects on sensitive aquatic species like 
freshwater mussels. One small area of riparian zone that is removed can 
cause sedimentation and habitat degradation for miles downstream.

Systematic Changes

    Climate Change (Factor E): Aquatic systems are encountering changes 
and shifts in seasonal patterns of precipitation and runoff as a result 
of climate change. While mussels have evolved in habitats that 
experience seasonal fluctuations in discharge, global weather patterns 
can have an impact on the normal regimes (e.g., El Ni[ntilde]o or La 
Ni[ntilde]a). Even during naturally occurring low-flow events, mussels 
become stressed either because they exert significant energy to move to 
deeper waters or they succumb to desiccation. Because low flows in late 
summer and early fall are stress-inducing, droughts during this time of 
year result in stress and, potentially, an increased rate of mortality. 
Droughts have impacted all river basins within the range of the yellow 
lance, from an ``abnormally dry'' ranking for North Carolina and 
Virginia in 2001 on the Southeast Drought Monitor scale to the highest 
ranking of ``exceptionally dry'' for the entire range of the yellow 
lance in 2002 and 2007. The 2015 drought data indicated the entire 
Southeast ranging from ``abnormally dry'' to ``moderate drought'' or 
``severe drought.'' These data are from the first week in September, 
indicating a very sensitive time for drought to be affecting the yellow 
lance. The Middle Neuse tributaries of the Neuse River basin had 
consecutive drought years from 2005 through 2012, indicating sustained

[[Page 14195]]

stress on the species over a long period of time. Sedentary freshwater 
mussels have limited refugia from disturbances such as droughts and 
floods, and they are completely dependent on specific water 
temperatures to complete their physiological requirements. Changes in 
water temperature lead to stress, increased mortality, and also 
increase the likelihood of extinction for the species. Increases in the 
frequency and strength of storm events alter stream habitat. Stream 
habitat is altered either directly via channelization or clearing of 
riparian areas, or indirectly via high streamflows that reshape the 
channel and cause sediment erosion. The large volumes and velocity of 
water, combined with the extra debris and sediment entering streams 
following a storm, stress, displace, or kill yellow lance and the host 
fish species on which it depends.
    Invasive Species: In many areas across the States of Maryland, 
Virginia, and North Carolina, aquatic invasive species are invading 
aquatic communities and altering biodiversity by competing with native 
species for food, light, or breeding and nesting areas. For example, 
the Asian clam (Corbicula fluminea) alters benthic substrates, competes 
with native species for limited resources, and causes ammonia spikes in 
surrounding water when they die off en masse. The Asian clam is 
ubiquitous across the southeastern United States and is present in 
watersheds across the range of the yellow lance. The flathead catfish 
(Pylodictis olivaris) is an apex predator known to feed on almost 
anything, including other fish, crustaceans, and mollusks, and to 
impact host fish communities, reducing the amount of fish available as 
hosts for the mussels to complete their glochidia life stage. 
Introductions of flathead catfish into rivers in North Carolina have 
led to steep declines in numbers of native fish. The flathead catfish 
has been documented in the Potomac, James, Roanoke, Tar, and Neuse 
river systems.
    Hydrilla (Hydrilla verticillata), an aquatic plant, alters stream 
habitat, decreases flows, and contributes to sediment buildup in 
streams. High sedimentation can cause suffocation, reduce stream flow, 
and make it difficult for mussels' interactions with host fish 
necessary for development. Hydrilla occurs in several watersheds where 
the yellow lance occurs, including recent documentation from the Tar 
River. The dense growth is altering the flow in this system and causing 
sediment buildup, which can cause suffocation in filter-feeding 
mussels. While data are lacking on hydrilla currently having 
population-level effects on the yellow lance, the spread of this 
invasive plant is expected to increase in the future.
    Barriers: Extinction/extirpation of North American freshwater 
mussels can be traced to impoundment and inundation of riffle habitats 
(shallow water with rapid currents running over gravel or rocks) in all 
major river basins of the central and eastern United States (Factor A). 
Upstream of dams, the change from flowing to impounded waters, 
increased depths, increased buildup of sediments, decreased dissolved 
oxygen, and the drastic alteration in resident fish populations can 
threaten the survival of mussels and their overall reproductive 
success. Downstream of dams, fluctuations in flow regimes, minimal 
releases and scouring flows, seasonal dissolved oxygen depletion, 
reduced or increased water temperatures, and changes in fish 
assemblages can also threaten the survival and reproduction of many 
mussel species. Because the yellow lance uses smaller host fish (e.g., 
darters and minnows), it is even more susceptible to impacts from 
habitat fragmentation due to increasing distance between suitable 
habitat patches and a low likelihood of host fish swimming over that 
distance. Even improperly constructed culverts at stream crossings can 
act as significant barriers and have some similar effects as dams on 
stream systems. Fluctuating flows through the culvert can vary 
significantly from the rest of the stream, preventing fish passage and 
scouring downstream habitats. If a culvert ends up being perched above 
the stream bed, aquatic organisms cannot pass through it. These 
barriers not only fragment habitats along a stream course, they also 
contribute to genetic isolation of the yellow lance. All 12 of the MUs 
containing yellow lance populations have been impacted by dams, with as 
few as 3 dams in the Fishing Creek subbasin to more than 100 dams in 
the York basin (Service 2016, appendix D). The Middle Neuse contains 
237 dams and more than 5,000 stream crossings, so connectivity there 
has been severely affected by barriers.

Synergistic Effects

    In addition to the impacts on the yellow lance individually, it is 
likely that several of the above summarized risk factors are acting 
synergistically or additively on the species. The combined impact of 
multiple stressors is likely more harmful than a single stressor acting 
alone. For example, the Meherrin River MU contains four stream reaches 
with 34 miles of impaired streams. The stream reaches have low benthic-
macroinvertebrate scores, low dissolved oxygen, low pH, and contain 
Escherichia coli (also known as E. coli). There are 16 non-major and 2 
major discharges within this MU, along with 7 dams, 676 road crossings, 
and droughts recorded for 4 consecutive years in 2007-2010. The 
combination of all of these stressors on the sensitive aquatic species 
in this habitat has impacted yellow lance such that no individuals have 
been recorded here since 1994.
    To forecast the biological conditions of the yellow lance into the 
future, we devised a range of plausible future scenarios by eliciting 
expert information on the primary stressors anticipated to affect the 
species into the future: habitat loss and degradation due to 
urbanization and the effects of climate change. These scenarios were 
based, in part, on the results of urbanization (Terando et al. 2014) 
and climate models (IPCC, 2013) that predict changes in habitat used by 
the yellow lance. The models that were used to forecast urbanization 
into the future projected out 50 years, and climate change models 
included that timeframe as well. The range of plausible future 
scenarios of yellow lance habitat conditions and population factors 
suggest possible extirpation in as many as five of seven currently 
extant populations. Even the most optimistic model predicted that only 
two populations will remain extant in 50 years, and those populations 
are expected to be characterized by low occupancy and abundance. For a 
more-detailed discussion of our evaluation of the biological status of 
the yellow lance and the factors that may affect its continued 
existence, please see the SSA Report (Service, 2017 entire) and the 
proposed rule (82 FR 16559, April 4, 2017).

Determination

    Section 4 of the Act (16 U.S.C. 1533), and its implementing 
regulations in title 50 of the Code of Federal Regulations at 50 CFR 
part 424, set forth the procedures for adding species to the Federal 
Lists of Endangered and Threatened Wildlife and Plants. Under section 
4(a)(1) of the Act, we may list a species based on (A) The present or 
threatened destruction, modification, or curtailment of its habitat or 
range; (B) overutilization for commercial, recreational, scientific, or 
educational purposes; (C) disease or predation; (D) the inadequacy of 
existing regulatory mechanisms; or (E) other natural or manmade factors 
affecting its continued existence.

[[Page 14196]]

    We have carefully assessed the best scientific and commercial 
information available regarding the past, present, and future threats 
to the yellow lance. The yellow lance is presumed extirpated from 25 
percent (3) of the historically occupied MUs, with most populations 
characterized by low resiliency. Most of the streams that remain part 
of the current species' range are estimated to be in low or very low 
condition with decreased occupancy of yellow lance.
    The yellow lance faces threats from declines in water quality, loss 
of stream flow, riparian and instream fragmentation, and deterioration 
of instream habitats (Factor A). These threats, which are expected to 
be exacerbated by continued urbanization (Factor A) and effects of 
climate change (Factor E), will impact the future viability of the 
yellow lance. We did not find that the yellow lance was impacted by 
overutilization (Factor B), or disease or predation (Factor C). While 
there are regulatory mechanisms in place that may benefit the yellow 
lance, the existing regulatory mechanisms did not reduce the impact of 
the stressors to the point that the species is not threatened by 
extinction (Factor D).
    The Act defines an endangered species as any species that is ``in 
danger of extinction throughout all or a significant portion of its 
range'' and a threatened species as any species ``that is likely to 
become endangered throughout all or a significant portion of its range 
within the foreseeable future.'' We considered whether the yellow lance 
meets either of these definitions, and we find that the yellow lance 
meets the definition of a threatened species. Our analysis of the 
species' current and future conditions, as well as the conservation 
efforts discussed above, show that habitat modification and destruction 
(Factor A) and other natural and manmade factors (Factor E) will 
continue to impact the resiliency, representation, and redundancy for 
the yellow lance so that it is likely to become in danger of extinction 
throughout all or a significant portion of its range within the 
foreseeable future.
    We considered whether the yellow lance is currently in danger of 
extinction and determined that endangered status is not appropriate. 
The current conditions as assessed in the yellow lance SSA report show 
multiple resilient populations over a majority of the species' 
historical range. The yellow lance still exhibits representation across 
all three physiographic regions, and extant populations remain from the 
Patuxent River south to the Neuse River. While habitat modification and 
destruction (Factor A), invasive species (Factor E), and effects of 
climate change (Factor E) are currently acting on the species and many 
of those threats are expected to continue into the future, we did not 
find that the species is currently in danger of extinction throughout 
all of its range. According to our assessment of plausible future 
scenarios, the species is likely to become an endangered species in the 
foreseeable future throughout all of its range.
    Under the Act and our implementing regulations, a species warrants 
listing if it is endangered or threatened throughout all or a 
significant portion of its range. Because we have determined that the 
yellow lance is threatened throughout all of its range, no portion of 
its range can be ``significant'' for purposes of the definitions of 
``endangered species'' and ``threatened species.'' See the Final Policy 
on Interpretation of the Phrase ``Significant Portion of Its Range'' in 
the Endangered Species Act's Definitions of ``Endangered Species'' and 
``Threatened Species'' (79 FR 37577; July 1, 2014).
    Therefore, on the basis of the best available scientific and 
commercial information, we are listing the yellow lance as threatened 
in accordance with sections 3(6) and 4(a)(1) of the Act.

Available Conservation Measures

    Conservation measures provided to species listed as endangered or 
threatened species under the Act include recognition, recovery actions, 
requirements for Federal protection, and prohibitions against certain 
practices. Recognition through listing results in public awareness and 
conservation by Federal, State, Tribal, and local agencies, private 
organizations, and individuals. The Act encourages cooperation with the 
States and requires that recovery actions be carried out for all listed 
species. The protection required by Federal agencies and the 
prohibitions against certain activities are discussed, in part, below.

Recovery Actions

    The primary purpose of the Act is the conservation of endangered 
and threatened species and the ecosystems upon which they depend. The 
ultimate goal of such conservation efforts is the recovery of these 
listed species, so that they no longer need the protective measures of 
the Act. Subsection 4(f) of the Act requires the Service to develop and 
implement recovery plans for the conservation of endangered and 
threatened species. The recovery planning process involves the 
identification of actions that are necessary to halt or reverse the 
species' decline by addressing the threats to its survival and 
recovery. The goal of this process is to restore listed species to a 
point where they are secure, self-sustaining, and functioning 
components of their ecosystems.
    Recovery planning includes the development of a recovery outline 
shortly after a species is listed and preparation of a draft and final 
recovery plan. The recovery outline guides the immediate implementation 
of urgent recovery actions and describes the process to be used to 
develop a recovery plan. Revisions of the plan may be done to address 
continuing or new threats to the species, as new substantive 
information becomes available. The recovery plan identifies site-
specific management actions that set a trigger for review of the five 
factors that control whether a species remains endangered or may be 
downlisted or delisted and methods for monitoring recovery progress. 
Recovery plans also establish a framework for agencies to coordinate 
their recovery efforts and provide estimates of the cost of 
implementing recovery tasks. Recovery teams (composed of species 
experts, Federal and State agencies, nongovernmental organizations, and 
stakeholders) are often established to develop recovery plans. When 
completed, the recovery outline, draft recovery plan, and the final 
recovery plan will be available on our website (http://www.fws.gov/endangered) or from our Raleigh field office (see FOR FURTHER 
INFORMATION CONTACT).
    Implementation of recovery actions generally requires the 
participation of a broad range of partners, including other Federal 
agencies, States, Tribal, nongovernmental organizations, businesses, 
and private landowners. Examples of recovery actions include habitat 
restoration (e.g., restoration of native vegetation), research, captive 
propagation and reintroduction, and outreach and education. The 
recovery of many listed species cannot be accomplished solely on 
Federal lands because their range may occur primarily or solely on non-
Federal lands. To achieve recovery of these species requires 
cooperative conservation efforts on private, State, and Tribal lands.
    Following publication of this final listing rule, funding for 
recovery actions will be available from a variety of sources, including 
Federal budgets, State programs, and cost-share grants for non-Federal 
landowners, the academic community, and nongovernmental organizations. 
In addition, pursuant to section 6 of the Act, the States of Maryland, 
Virginia, and North Carolina

[[Page 14197]]

will be eligible for Federal funds to implement management actions that 
promote the protection or recovery of the yellow lance. Information on 
our grant programs that are available to aid species recovery can be 
found at: http://www.fws.gov/grants.
    Please let us know if you are interested in participating in 
recovery efforts for the yellow lance. Additionally, we invite you to 
submit any new information on this species whenever it becomes 
available and any information you may have for recovery planning 
purposes (see FOR FURTHER INFORMATION CONTACT).

Critical Habitat

    Section 7(a) of the Act requires Federal agencies to evaluate their 
actions with respect to any species that is listed as an endangered or 
threatened species and with respect to its critical habitat, if any is 
designated. Regulations implementing this interagency cooperation 
provision of the Act are codified at 50 CFR part 402. Section 7(a)(2) 
of the Act requires Federal agencies to ensure that activities they 
authorize, fund, or carry out are not likely to jeopardize the 
continued existence of any endangered or threatened species or destroy 
or adversely modify its critical habitat. If a Federal action may 
affect a listed species or its critical habitat, the responsible 
Federal agency must enter into consultation with the Service.
    Federal agency actions within the species' habitat that may require 
conference or consultation or both as described in the preceding 
paragraph include management and any other landscape-altering 
activities on Federal lands administered by the U.S. Fish and Wildlife 
Service, U.S. Forest Service, and National Park Service; issuance of 
section 404 Clean Water Act (33 U.S.C. 1251 et seq.) permits by the 
U.S. Army Corps of Engineers; and construction and maintenance of roads 
or highways by the Federal Highway Administration.
    A careful assessment of the economic impacts that may occur due to 
a critical habitat designation is still ongoing, and we are in the 
process of working with the States and other partners in acquiring the 
complex information needed to perform that assessment. A proposed rule 
to designate critical habitat will be published in the near future.

Regulatory Provisions

    Under section 4(d) of the Act, the Service has discretion to issue 
regulations that we find necessary and advisable to provide for the 
conservation of threatened species. The Act and its implementing 
regulations set forth a series of general prohibitions and exceptions 
that apply to threatened wildlife. The prohibitions of section 9(a)(1) 
of the Act, as applied to threatened wildlife and codified at 50 CFR 
17.31, make it illegal for any person subject to the jurisdiction of 
the United States to take (which includes harass, harm, pursue, hunt, 
shoot, wound, kill, trap, capture, or collect; or to attempt any of 
these) threatened wildlife within the United States or on the high 
seas. In addition, it is unlawful to import; export; deliver, receive, 
carry, transport, or ship in interstate or foreign commerce in the 
course of commercial activity; or sell or offer for sale in interstate 
or foreign commerce any listed species. It is also illegal to possess, 
sell, deliver, carry, transport, or ship any such wildlife that has 
been taken illegally.
    We may issue permits to carry out otherwise prohibited activities 
involving threatened wildlife under certain circumstances. Regulations 
governing permits are codified at 50 CFR 17.32. With regard to 
threatened wildlife, a permit may be issued for the following purposes: 
for scientific purposes, to enhance the propagation or survival of the 
species, and for incidental take in connection with otherwise lawful 
activities. There are also certain statutory exemptions from the 
prohibitions, which are found in sections 9 and 10 of the Act.
    It is our policy, as published in the Federal Register on July 1, 
1994 (59 FR 34272), to identify to the maximum extent practicable at 
the time a species is listed, those activities that would or would not 
constitute a violation of section 9 of the Act. The intent of this 
policy is to increase public awareness of the effect of a final listing 
on proposed and ongoing activities within the range of a listed 
species. Activities that the Service believes could potentially harm 
the yellow lance and result in ``take'' include, but are not limited 
to:
    (1) Unauthorized handling or collecting of the species;
    (2) Destruction or alteration of the species' habitat by discharge 
of fill material, dredging, snagging, impounding, channelization, or 
modification of stream channels or banks;
    (3) Destruction of riparian habitat directly adjacent to stream 
channels that causes significant increases in sedimentation and 
destruction of natural stream banks or channels;
    (4) Discharge of pollutants into a stream or into areas 
hydrologically connected to a stream occupied by the species;
    (5) Diversion or alteration of surface or ground water flow; and
    (6) Pesticide/herbicide applications in violation of label 
restrictions.
    Questions regarding whether specific activities would constitute a 
violation of section 9 of the Act should be directed to the Raleigh 
Ecological Services Field Office (see FOR FURTHER INFORMATION CONTACT).

Required Determinations

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

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

Government-to-Government Relationship With Tribes

    In accordance with the President's memorandum of April 29, 1994 
(Government-to-Government Relations with Native American Tribal 
Governments; 59 FR 22951), Executive Order 13175 (Consultation and 
Coordination with Indian Tribal Governments), and the Department of the 
Interior's manual at 512 DM 2, we readily acknowledge our 
responsibility to communicate meaningfully with recognized Federal 
Tribes on a government-to-government basis. In accordance with 
Secretarial Order 3206 of June 5, 1997 (American Indian Tribal Rights, 
Federal-Tribal Trust Responsibilities, and the Endangered Species Act), 
we readily acknowledge our responsibilities to work directly with 
tribes in developing programs for healthy ecosystems, to acknowledge 
that tribal lands are not subject to the same controls as Federal 
public lands, to remain sensitive to Indian culture, and to make 
information available to tribes. There are no tribal lands affected by 
this listing determination.

References Cited

    A complete list of references cited in the SSA Report that informed 
this rulemaking is available on the internet at http://www.regulations.gov in Docket No. FWS-R4-ES-2017-0017 and upon request 
from the Raleigh Ecological Services Field Office (see FOR FURTHER 
INFORMATION CONTACT).

[[Page 14198]]

Authors

    The primary authors of this final rule are the staff members of the 
Fish and Wildlife Service's Species Assessment Team and the Raleigh 
Ecological Services Field Office.

List of Subjects in 50 CFR Part 17

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

Regulation Promulgation

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

PART 17--ENDANGERED AND THREATENED WILDLIFE AND PLANTS

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

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


0
2. Amend Sec.  17.11 in paragraph (h) by adding an entry for ``Lance, 
yellow'' to the List of Endangered and Threatened Wildlife in 
alphabetical order under CLAMS to read as follows:


Sec.  17.11   Endangered and threatened wildlife.

* * * * *
    (h) * * *

----------------------------------------------------------------------------------------------------------------
                                                                                           Listing citations and
          Common name              Scientific name      Where listed          Status         applicable rules
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
             Clams
 
                                                  * * * * * * *
Lance, yellow..................  Elliptio            Wherever found....               T   83 FR [Insert Federal
                                  lanceolata.                                              Register page where
                                                                                           the document begins];
                                                                                           4/3/2018.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------

* * * * *

    Dated February 23, 2018.
James W. Kurth,
Deputy Director, U.S. Fish and Wildlife Service, exercising the 
authority of the Director.
[FR Doc. 2018-06735 Filed 4-2-18; 8:45 am]
 BILLING CODE 4333-15-P



                                                                   Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations                                              14189

                                              ■ 2. Amend § 51.917 by revising the first               ■ 4. Amend § 54.319 by revising                       Consumer Broadband-Only Loop
                                              sentence of paragraph (f)(4) and adding                 paragraph (g) introductory text to read               category.
                                              paragraph (f)(5) to read as follows:                    as follows:                                           [FR Doc. 2018–06488 Filed 4–2–18; 8:45 am]
                                              § 51.917 Revenue recovery for Rate-of-                                                                        BILLING CODE 6712–01–P
                                                                                                      § 54.319 Elimination of high-cost support
                                              Return Carriers.                                        in areas with 100 percent coverage by an
                                              *       *     *     *     *                             unsubsidized competitor.
                                                 (f) * * *                                            *     *     *    *     *                              DEPARTMENT OF THE INTERIOR
                                                 (4) Except as provided in paragraph                    (g) For any incumbent local exchange
                                              (f)(5) of this section, a Rate-of-Return                                                                      Fish and Wildlife Service
                                                                                                      carrier for which the disaggregated
                                              Carrier must impute an amount equal to                  support for competitive census blocks
                                              the Access Recovery Charge for each                                                                           50 CFR Part 17
                                                                                                      represents 25 percent or more of the
                                              Consumer Broadband-Only Loop line                       support the carrier would have received               [Docket No. FWS–R4–ES–2017–0017;
                                              that receives support pursuant to                       in the study area in the absence of this              4500030113]
                                              § 54.901 of this chapter, with the                      rule, support shall be reduced for each               RIN 1018–BB45
                                              imputation applied before CAF–ICC                       competitive census block according to
                                              recovery is determined. * * *                           the following schedule:                               Endangered and Threatened Wildlife
                                                 (5) Notwithstanding paragraph (f)(4)
                                                                                                      *     *     *    *     *                              and Plants; Threatened Species Status
                                              of this section, commencing July 1, 2018
                                                                                                                                                            for Yellow Lance
                                              and ending June 30, 2023, the maximum                   PART 69—ACCESS CHARGES
                                              total dollar amount a carrier must                                                                            AGENCY:   Fish and Wildlife Service,
                                              impute on supported consumer                            ■ 5. The authority citation for part 69               Interior.
                                              broadband-only loops is limited as                      continues to read as follows:                         ACTION: Final rule.
                                              follows:
                                                 (i) For the affected tariff year, the                  Authority: 47 U.S.C. 154, 201, 202, 203,
                                                                                                      205, 218, 220, 254, 403.                              SUMMARY:    We, the U.S. Fish and
                                              carrier shall compare the amounts in                                                                          Wildlife Service (Service), determine
                                              paragraphs (f)(5)(i)(A) and (B) of this                 ■ 6. Amend § 69.311 by revising the                   threatened species status under the
                                              section.                                                introductory text of paragraph (b) and                Endangered Species Act of 1973, as
                                                 (A) The sum of the revenues from                     adding paragraph (c) to read as follows:              amended (ESA or Act), for yellow lance
                                              projected Access Recovery Charges                                                                             (Elliptio lanceolata), a mussel species
                                                                                                      § 69.311 Consumer Broadband-Only Loop
                                              assessed pursuant to paragraph (e) of                   investment.                                           from Maryland, Virginia, and North
                                              this section, any amounts imputed                                                                             Carolina. The effect of this regulation
                                              pursuant to paragraph (f)(2) of this                    *     *     *     *     *
                                                                                                        (b) Until June 30, 2018, the consumer               will be to add this species to the List of
                                              section, and any imputation pursuant to                                                                       Endangered and Threatened Wildlife.
                                              paragraph (f)(4) of this section.                       broadband-only loop investment to be
                                                                                                      removed from the special access                       DATES: This rule is effective May 3,
                                                 (B) The sum of the revenues from
                                              Access Recovery Charges assessed                        category shall be determined using the                2018.
                                              pursuant to paragraph (e) of this section               following estimation method.                          ADDRESSES:   This final rule is available
                                              and any amounts imputed pursuant to                     *     *     *     *     *                             on the internet at http://
                                              paragraph (f)(2) of this section for tariff               (c) Beginning July 1, 2018, each                    www.regulations.gov in Docket No.
                                              year 2015–16, after being trued-up.                     carrier shall determine, consistent with              FWS–R4–ES–2017–0017 and https://
                                                 (ii) If the amount determined in                     the Part 36 and Part 69 cost allocation               www.fws.gov/southeast/. Comments and
                                              paragraph (f)(5)(i)(A) of this section is               rules, the amount of Consumer                         materials we received, as well as
                                              greater than the amount determined in                   Broadband-Only Loop investment and                    supporting documentation we used in
                                              paragraph (f)(5)(i)(B), the sum of the                  related reserves and other investment                 preparing this rule, are available for
                                              revenues from projected Access                          assigned to the interstate Special Access             public inspection at http://
                                              Recovery Charges assessed pursuant to                   category that is to be shifted to the                 www.regulations.gov. Comments,
                                              paragraph (e) of this section and any                   Consumer Broadband-Only Loop                          materials, and documentation that we
                                              amounts imputed pursuant to paragraph                   category.                                             considered in this rulemaking will be
                                              (f)(2) of this section for the affected year            ■ 7. Amend § 69.416 by revising the                   available by appointment, during
                                              must be compared to the amount                          introductory text of paragraph (b) and                normal business hours at: U.S. Fish and
                                              determined in paragraph (f)(5)(ii)(B) of                adding paragraph (c) to read as follows:              Wildlife Service, Raleigh Ecological
                                              this section.                                                                                                 Services Field Office, 551F Pylon Drive,
                                                 (A) If the former amount is greater                  § 69.416 Consumer Broadband-Only Loop                 Raleigh, NC 27606; 919–856–4520.
                                              than the latter amount, no imputation is                expenses.
                                                                                                                                                            FOR FURTHER INFORMATION CONTACT: Pete
                                              made on Consumer Broadband-Only                         *     *     *     *    *                              Benjamin, Field Supervisor, U.S. Fish
                                              Loops.                                                    (b) Until June 30, 2018, the consumer               and Wildlife Service, Raleigh Ecological
                                                 (B) If the former amount is equal to or              broadband-only loop expenses to be                    Services Field Office, 551F Pylon Drive,
                                              less than the latter amount, the                        removed from the special access                       Raleigh, NC 27606 or telephone 919–
                                              imputation on Consumer Broadband-                       category shall be determined using the                856–4520. Persons who use a
                                              Only Loops is limited to the difference                 following estimation method.                          telecommunications device for the deaf
                                              between the two amounts.                                                                                      (TDD) may call the Federal Relay
                                                                                                      *     *     *     *    *
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                                              PART 54—UNIVERSAL SERVICE                                 (c) Beginning July 1, 2018, each                    Service at 800–877–8339.
                                                                                                      carrier shall determine, consistent with              SUPPLEMENTARY INFORMATION:
                                              ■ 3. The authority citation for part 54                 the Part 36 and Part 69 cost allocation
                                              continues to read as follows:                           rules, the amount of Consumer                         Supporting Documents
                                                Authority: 47 U.S.C. 151, 154(i), 155, 201,           Broadband-Only Loop expenses                            A species status assessment (SSA)
                                              205, 214, 219, 220, 254, 303(r), 403, and 1302          assigned to the interstate Special Access             team prepared an SSA report for the
                                              unless otherwise noted.                                 category that are to be shifted to the                yellow lance. The SSA team was


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                                              14190                Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations

                                              composed of Service biologists, in                      proposal by June 5, 2017. We also                        (2) Comment: One peer reviewer
                                              consultation with other species experts.                contacted appropriate Federal and State               suggested we use data from flow gauges
                                              The SSA report represents a                             agencies, scientific experts and                      to measure water availability for the
                                              compilation of the best scientific and                  organizations, and other interested                   time period identified.
                                              commercial data available concerning                    parties and invited them to comment on                   Our Response: Gauge data are not
                                              the status of the species, including the                the proposal. We did not receive any                  consistently available for all locations in
                                              impacts of past, present, and future                    requests for a public hearing. All                    the analysis. Drought maps were used to
                                              factors (both negative and beneficial)                  substantive information provided                      give an overall (rangewide) impression
                                              affecting the yellow lance. The SSA                     during the comment period has either                  about climate-related influences on the
                                              report underwent independent peer                       been incorporated directly into this final            population.
                                              review by scientists with expertise in                  determination or addressed below.                        (3) Comment: One peer reviewer
                                              mussel biology, habitat management,                                                                           wanted more information on how the
                                                                                                      Peer Reviewer Comments                                Active River Areas (ARAs) were
                                              and stressors (factors negatively
                                              affecting the species) to the species. The                 In accordance with our peer review                 delineated.
                                              SSA report, proposed rule, and other                    policy published on July 1, 1994 (59 FR                  Our Response: An ARA is a pre-
                                              materials relating to this rule can be                  34270), and our August 22, 2016,                      defined/delineated shapefile made
                                              found on the Southeast Region website                   memorandum updating and clarifying                    available by The Nature Conservancy
                                              at https://www.fws.gov/southeast/ and                   the role of peer review actions under the             (TNC). The ARA framework is a
                                              at http://www.regulations.gov under                     Act, we solicited expert opinion from 13              spatially explicit characterization? of
                                              Docket No. FWS–R4–ES–2017–0017.                         knowledgeable individuals with                        rivers that includes both the channels
                                                                                                      scientific expertise that included                    and the riparian lands necessary to
                                              Previous Federal Action                                                                                       accommodate the physical and
                                                                                                      familiarity with yellow lance and its
                                                Please refer to the proposed listing                  habitat, biological needs, and threats.               ecological processes associated with the
                                              rule for the yellow lance (82 FR 16559;                 We received responses from seven of the               river system. The ARA includes
                                              April 5, 2017) for a detailed description               peer reviewers.                                       material contribution areas, meander
                                              of previous Federal actions concerning                     We reviewed all comments received                  belts, floodplains, terraces, and riparian
                                              this species.                                           from the peer reviewers for substantive               wetlands. For more information, see:
                                                                                                      issues and new information regarding                  https://www.conservationgateway.org/
                                              Background                                                                                                    ConservationByGeography/
                                                                                                      the information contained in the SSA
                                                Please refer to the proposed listing                                                                        NorthAmerica/UnitedStates/edc/
                                                                                                      Report. The peer reviewers generally
                                              rule for the yellow lance and the SSA                                                                         Documents/ED_freshwater_ARA_
                                                                                                      concurred with our methods and
                                              Report for a full summary of species                                                                          NE2008.pdf.
                                                                                                      conclusions and provided additional
                                              information. Both are available on the                                                                          (4) Comment: One peer reviewer
                                                                                                      information, clarifications, and
                                              Southeast Region website at https://                                                                          stated that we should have completed a
                                                                                                      suggestions to improve the final SSA
                                              www.fws.gov/southeast/ and at http://                                                                         PECE analysis on the conservation
                                                                                                      Report. Peer reviewer comments are
                                              www.regulations.gov under Docket No.                                                                          management actions.
                                                                                                      addressed in the following summary
                                              FWS–R4–ES–2017–0017.                                                                                            Our Response: The Policy for the
                                                                                                      and were incorporated into the final
                                                                                                                                                            Evaluation of Conservation Efforts
                                              Summary of Changes From the                             SSA Report as appropriate.
                                                                                                                                                            (PECE) is a policy that provides
                                              Proposed Rule                                              (1) Comment: One peer reviewer                     guidance on how to evaluate
                                                 In preparing this final rule, we                     recommended that Natural Heritage                     conservation efforts that have not yet
                                              reviewed and fully considered                           Element Occurrences should have been                  been implemented or have not yet
                                              comments from the public on the                         used as metrics to delineate populations              demonstrated effectiveness. The
                                              proposed rule (see below). No                           instead of river basins and hydrologic                management actions described in the
                                              substantive changes were made to this                   unit code 10 (HUC10) management                       SSA Report do not fall under these
                                              final rule after consideration of the                   units (MUs).                                          criteria because they are past and
                                              comments we received. The SSA report                       Our Response: The use of river basins              present conservation management
                                              was updated (to version 1.3) based on                   and MUs as metrics was suggested by                   actions.
                                              comments and some additional                            the Yellow Lance Technical Team. This                   (5) Comment: One peer reviewer
                                              information provided; many small, non-                  species expert group, which included                  noted that not all watersheds are at
                                              substantive clarifications and                          Natural Heritage biologists, did not                  equal risk of development.
                                              corrections were made throughout the                    think the element occurrence was                        Our Response: We understand that
                                              SSA document, including ensuring                        appropriate for this analysis, because                development of watersheds varies
                                              consistency of colors on maps,                          element occurrences are too fine a scale              across the range of the species. To
                                              providing details about data sources                    and represent where individuals have                  capture this variation, we used the
                                              used, updating references in the                        been documented rather than capture                   SLEUTH BAU model of urban growth in
                                              description of threats section, and minor               the extent of the suitable habitat. The               the Southeast U.S., which looks at
                                              clarifications. However, the information                river basin level by itself is too coarse             patterns of past development and
                                              we received in response to the proposed                 of a scale at which to estimate the                   projects similar spatial pattern of
                                              rule did not change our determination                   condition of factors influencing                      development into the future. We believe
                                              that the yellow lance is a threatened                   resiliency, so populations were further               this model constitutes the best available
                                              species.                                                delineated using MUs. MUs were                        information concerning the future
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                                                                                                      defined as one or more HUC10                          development projections within the
                                              Summary of Comments and                                 watersheds that species experts                       range of the yellow lance.
                                              Recommendations                                         identified as most appropriate for
                                                In the proposed rule published on                     assessing population-level resiliency,                Comments From States
                                              April 5, 2017 (82 FR 16559), we                         because it better captures the extent of                (6) Comment: The North Carolina
                                              requested that all interested parties                   suitable habitat for areas where yellow               Wildlife Commission and other
                                              submit written comments on the                          lance are found.                                      commenters requested that the Service


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                                                                   Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations                                        14191

                                              implement a rule under section 4(d) of                  text written by the Service (‘‘Many                   information standards because it is
                                              the Act in order to provide for species                 forestry activities are not required to               recent, relevant work that relates to the
                                              conservation and other activities                       obtain a CWA [Clean Water Act] 404                    point being made regarding stream
                                              resulting in incidental take.                           permit, as silviculture activities (such as           temperatures, that removal of vegetation
                                                 Our Response: We have not proposed                   harvesting for the production of fiber                alongside streams increases water
                                              a section 4(d) rule at this time, but we                and forest products) are exempted’’)                  temperature in the stream.
                                              plan to propose a section 4(d) rule in the              lead the reader to believe that this                    (10) Comment: One commenter stated
                                              future to tailor the take prohibitions of               exemption allows forestry activities to               that the proposed rule and SSA Report
                                              the Act to those necessary and advisable                create a water quality problem without                do not meet the information standards
                                              to provide for the conservation of the                  consequence.                                          of the Interagency Policy on Information
                                              yellow lance.                                              Our Response: The statement from the               Standards adopted by the Service. Both
                                                                                                      SSA quoted in the comment above was                   documents evaluate a subset of the
                                              Public Comments
                                                                                                      not intended to indicate that there was               available data, fail to perform an in-
                                                 (7) Comment: Several commenters                      no recourse for such action, but rather               depth analysis of the data that is
                                              stated that the Service did not                         to indicate that many activities are                  evaluated, define populations
                                              acknowledge the benefits of high rates                  exempted from permits. We clarified the               inaccurately, present inaccurate
                                              of compliance with forestry Best                        language in the report. While we                      analyses and conclusions, and provide a
                                              Management Practices (BMPs), and                        understand that not every BMP relates                 limited view of the potential future
                                              instead focused on the relatively rare                  to water quality protections, many of                 scenarios relative to the viability of the
                                              instances of failure to use BMPs. While                 them do contribute to water quality and               species. Under the ESA and associated
                                              the Service correctly acknowledges that                 habitat quality. As indicated in Table 4–             Federal policies and guidelines, the rule
                                              silvicultural activities performed                      3 of the SSA (p. 52), the BMP with one                and SSA Report do not provide
                                              according to BMPs ‘‘can retain adequate                 of the lowest implementation rates is                 sufficient scientific and technical
                                              conditions for aquatic ecosystems,’’ the                one designed to reduce the impacts of                 information to support decision-making
                                              remainder of the Service’s discussion                   stream crossings. Lack of adherence to                relative to the proposed listing of the
                                              regarding BMPs focuses on those rare                    or compliance with stream crossing                    yellow lance.
                                              circumstances when BMPs are not                         BMPs creates a water quality risk,                      Our Response: The commenter did
                                              implemented.                                            because improperly constructed culverts               not provide any contradictory science or
                                                 Our Response: We included forest                     at stream crossings act as barriers to host           available data that we did not consider.
                                              cover within the ARA as one of the                      fish (and, therefore, the yellow lance).              We used an integrated and
                                              main contributions to the habitat                       This scenario leads to loss of access to              conservation-focused analytical
                                              element of instream substrate, thus                     quality habitat, as well as fragmented                approach, the Species Status
                                              indicating that well-managed forests are                habitat and a loss of connectivity                    Assessment Framework, to assess the
                                              important contributors to maintaining                   between populations of the yellow                     species’ biological status for the purpose
                                              habitat occupied by the species. The                    lance. This situation can limit both                  of informing decisions and activities
                                              SSA Report notes that BMPs were not                     genetic exchange and recolonization                   under the Act. As discussed under
                                              always common practice, but that those                  opportunities.                                        Comment 9 above, our information
                                              instances of noncompliance today are                       (9) Comment: One commenter stated                  quality standards require our biologists,
                                              rare (SSA, p. 52). In Chapter 4, the SSA                that references not from the                          to the extent consistent with the Act and
                                              Report describes the many factors that                  southeastern United States should be                  with the use of the best scientific and
                                              contribute to the viability of the species,             removed.                                              commercial data available, to use
                                              and the instances of failure to use BMPs                   Our Response: In accordance with                   primary and original sources of
                                              could impact those factors and thus                     section 4 of the Act, we are required to              information as the basis for
                                              contribute to species decline, especially               make listing decisions on the basis of                determinations to list a species under
                                              if those noncompliance areas are within                 the best scientific and commercial data               the Act. The most comprehensive,
                                              the few known locations where the                       available. Further, our Policy on                     current data sets from all known State
                                              species persists. If BMPs associated with               Information Standards under the Act                   agency (including museum) databases
                                              forestry practices are not followed,                    (published in the Federal Register on                 were used, and references to current
                                              stream temperatures can increase,                       July 1, 1994 (59 FR 34271)), the                      data usage are in the text of the SSA (pp.
                                              sedimentation can lower water quality,                  Information Quality Act (section 515 of               12 and 22). We used both the peer-
                                              and associated roads can lead to                        the Treasury and General Government                   reviewed SLEUTH urbanization model
                                              increased sedimentation (references                     Appropriations Act for Fiscal Year 2001               and the Intergovernmental Panel on
                                              provided in SSA, pp. 50–51). So while                   (Pub. L. 106–554; H.R. 5658)), and our                Climate Change (IPCC) model to analyze
                                              improper implementation is rare, it can                 associated Information Quality                        a wide range of possible future
                                              have drastic negative effects on sensitive              Guidelines (www.fws.gov/                              scenarios, and our methods and
                                              aquatic species like freshwater mussels.                informationquality/), provide criteria                analyses underwent peer review by
                                              The intent of Section 4.5 of the SSA                    and guidance, and establish procedures                independent species experts.
                                              Report was to discuss those                             to ensure that our decisions are based                  This final rule and the final SSA
                                              circumstances when BMPs are not used                    on the best scientific data available. We             report rely on published articles,
                                              and how that could affect the species’                  determined that references from outside               unpublished research, expert habitat
                                              viability.                                              the southeastern United States are valid              modeling, comprehensive digital data,
                                                 (8) Comment: One commenter stated                    sources of information relevant to the                and the expert opinion of subject
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                                              that not implementing a BMP does not                    listing decision. The information                     biologists to determine the listing status
                                              equate to a water quality risk and,                     provided in those references is                       for the yellow lance. Additional
                                              therefore, also does not equate to                      important to consider because it informs              information was added throughout the
                                              noncompliance with State of North                       how stream temperature is affected after              SSA to detail data sources used for
                                              Carolina Forest Practice Guidelines                     deforestation, and how biota in the                   analysis. The most comprehensive,
                                              Related to Water Quality standards                      stream are subsequently impacted. Use                 current data sets from all known State
                                              (FPG). The commenter noted that the                     of these sources conforms with our                    agency (including museum) databases


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                                              14192                Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations

                                              were used, and references to current                    additional factors influencing viability,             dry times of year. In response to the
                                              data usage are in the text of the SSA (pp.              not only the impacts of urbanization.                 comment, we amended the SSA Report
                                              12 and 22). Survey summaries and                           Our Response: We considered six                    to clarify this point.
                                              detailed maps are provided in Appendix                  factors influencing viability of the                     (16) Comment: One commenter
                                              B. Also, in accordance with the                         yellow lance as part of the future                    recommended that, along with the
                                              Service’s peer review policy (59 FR                     condition analysis. Habitat conditions,               proposed listing, the Service identify
                                              34270, July 1, 1994), we solicited peer                 water quality, water quantity, species                recovery criteria, including the
                                              review from knowledgeable individuals                   condition, and climate were also                      development of conservation strategies
                                              with scientific expertise that included                 considered. The descriptions can be                   and incidental take permit mechanisms,
                                              familiarity with the species, the                       found in Table 5.1 of the SSA.                        prior to the listing becoming effective.
                                              geographic region in which the species                     (14) Comment: The future conditions                   Our Response: Recovery criteria (and
                                              occurs, and conservation biology                        evaluation fails to consider the net                  conservation strategies) are developed
                                              principles. Additionally, we requested                  positive impact of current and future                 as part of the recovery planning process,
                                              comments or information from other                      National Pollutant Discharge                          which occurs after the species has been
                                              concerned governmental agencies, the                    Elimination System (NPDES)                            listed under the Act. The Service
                                              scientific community, industry, and any                 stormwater programs, Department of                    intends to develop and make available
                                              other interested parties concerning the                 Transportation (DOT) design standards,                for public review a recovery outline
                                              proposed rule. Comments and                             agricultural practices, land controls,                within 30 days of publication of this
                                              information we received helped inform                   riparian buffers and land conservation                final rule. Once the final listing is
                                              this final rule.                                        areas, and applicable water quality                   effective, project proponents can apply
                                                 (11) Comment: One commenter stated                   criteria to protect designated uses of                for incidental take permits pursuant to
                                              that the analysis weighed the species                   waters.                                               section 10 of the Act (refer to page 30
                                                                                                         Our Response: The current condition
                                              assessment towards factors that may                                                                           below). A habitat conservation plan or
                                                                                                      analysis includes evaluation of all
                                              restrict future expansion of the species’                                                                     ‘‘HCP’’ must accompany an application
                                                                                                      current practices and land uses that may
                                              distribution rather than factors that pose                                                                    for an incidental take permit. The
                                                                                                      impact yellow lance (positive and
                                              a direct threat to the survival of existing                                                                   habitat conservation plan associated
                                                                                                      negative), as indicated in the data used,
                                              or future mussels.                                                                                            with the permit ensures that the effects
                                                                                                      including range-wide water quality and
                                                 Our Response: It is appropriate for us               land use data (i.e., agricultural practices,          of the authorized incidental take are
                                              to consider factors that would restrict                 buffers, and water quality classifications            adequately minimized and mitigated.
                                              future expansions, especially for a                     were all included in the analyses). See                  (17) Comment: One commenter
                                              species that is currently reduced from                  SSA Report pages/sections 23–29.                      expressed concern that endangered
                                              its historical range. Chapter 4 of the SSA              Positive and negative effects of these                species listings would interfere with the
                                              Report describes how stressors pose a                   actions are incorporated in the analysis              Environmental Protection Agency’s
                                              threat or benefit to the survival of                    and carried through when modeling                     established Framework for Water
                                              existing mussels, some (i.e., barriers),                potential future conditions. Any                      Quality Standards Development. The
                                              but not all, may restrict future                        practices above and beyond what is                    commenter stated that environmental
                                              expansion of the species.                               currently in practice would need to be                stressors and habitat components that
                                                 (12) Comment: One commenter stated                   analyzed as future efforts. According to              are developed may unnecessarily and
                                              that the proposed rule and the SSA                      our Policy for the Evaluation of                      inappropriately conflict with water
                                              Report present conflicting statements                   Conservation Efforts (68 FR 15100,                    quality standards (WQS).
                                              regarding stressors that affect the                     March 28, 2003), we only consider                        Our Response: We are required by
                                              species. The first paragraph of Section                 future efforts that are formalized and                section 4 of the Act to make a listing
                                              5.1 states that the main drivers for                    sufficiently certain to be implemented                decision based solely on the best
                                              change in the future condition analysis                 and effective.                                        scientific and commercial data
                                              is human population growth and                             (15) Comment: One commenter stated                 available. However, since a primary goal
                                              increased urbanization. However, the                    that the proposed rule and the SSA                    of the Clean Water Act is to protect the
                                              summary Section 4.9 of the SSA Report                   Report incorrectly claim that excessive               health of waters of the United States for
                                              and the Risk Factors for the Yellow                     surface water use for agricultural                    all designated uses, including the
                                              Lance in the Federal Register document                  irrigation has an adverse impact on the               protection of aquatic life, and since a
                                              state that ‘‘the largest threats to the                 amount of water available for                         primary goal of the Act is to provide for
                                              future viability of the species relate to               downstream sensitive areas during low-                the conservation of species that are
                                              habitat degradation from stressors                      flow months. According to the                         endangered or threatened, including the
                                              influencing water quality, water                        commenter, agricultural irrigation in                 conservation of the ecosystems on
                                              quantity, instream habitat, and habitat                 North Carolina is not excessive.                      which they depend, listed aquatic
                                              connectivity.’’                                            Our Response: The SSA Report states:               species and the river systems on which
                                                 Our Response: The statements do not                  ‘‘If the water withdrawal is excessive                they depend are protected under both
                                              conflict with each other. Both human                    (usually over 10,000 gal/day) or done                 laws. There should be no conflict
                                              population growth and changes in land                   illegally (without permit if needed, or               between the protections of the two
                                              use (specifically in development land                   during dry time of year, or in areas                  statutes.
                                              use patterns), including increased                      where sensitive aquatic species occur                    (18) Comment: One commenter
                                              urbanization, are stressors that result in              without consultation), this may cause                 opined that the SSA Report incorrectly
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                                              habitat degradation (which influences                   impacts to the amount of water available              concludes that pollutants harmful to the
                                              water quality, water quantity, instream                 to downstream sensitive areas during                  yellow lance impair water quality
                                              habitat, and habitat connectivity) as                   low flow months, resulting in                         throughout the species’ current range,
                                              described in section 4.1 of the SSA                     dewatering of channels and stranding of               and that the Service has not coordinated
                                              Report.                                                 mussels.’’ [emphasis added]. Both                     with the Environmental Protection
                                                 (13) Comment: The future condition                   surface and ground water withdrawals                  Agency (EPA) and the State to
                                              analysis in the SSA should consider                     can affect base flows in streams during               determine whether they actually do.


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                                                                   Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations                                         14193

                                                 Our Response: The SSA Report (p. 44)   Current Condition of Yellow Lance                                   each basin and the species is largely
                                              explains that water quality criteria do      To evaluate the current and future                               limited to the southern portions of its
                                              not currently exist for many of the       viability of the yellow lance, we                                   historical range. One population (the
                                              parameters for which freshwater           assessed a range of conditions to allow                             Tar population) was estimated to be
                                              mussels have been demonstrated to be      us to consider the species’ resiliency,                             moderately resilient, but all other extant
                                              sensitive. For instance, even after EPA   representation, and redundancy. The                                 populations exhibit low resiliency.
                                              revised the criteria for ammonia, after   historical range of the yellow lance                                Redundancy was estimated as the
                                              incorporating the toxicity data for       included streams and rivers in the                                  number of historically occupied MUs
                                              sensitive freshwater mollusks, the States Atlantic Slope drainages from the                                   that remain currently occupied. The
                                              have yet to update their WQS through      Patuxent River Basin south to the Neuse                             species retains redundancy (albeit in
                                              processes such as the Triennial Review.   River Basin, with the documented                                    low condition) within the
                                              Since WQS for pollutants have not been    historical distribution in 12                                       Rappahannock, Chowan, and Neuse
                                              promulgated by the States within the                                                                          River populations, and one population
                                                                                        Management Units (MUs) within eight
                                              range of the yellow lance, those                                                                              (Tar) has multiple moderate or highly
                                                                                        former populations. The yellow lance is
                                              pollutants are still deemed to be                                                                             resilient management units. Overall, the
                                                                                        presumed extirpated from 25 percent (3/
                                              potentially harmful to the survival and                                                                       species has decreased redundancy
                                                                                        12) of the historically occupied MUs. Of
                                              reproduction of the species.                                                                                  across its range due to an estimated 57
                                                                                        the remaining nine occupied MUs, 17
                                                                                                                                                            percent reduction in occupancy
                                                 (19) Comment: One commenter            percent are estimated to have high
                                                                                                                                                            compared to historical levels.
                                              expressed concern that portions of the    resiliency, 8 percent moderate                                         The largest threats to the future
                                              species’ range in the proposal may be     resiliency, and 67 percent low                                      viability of the yellow lance are habitat
                                              based on data that are both outdated and  resiliency. At the population level, the                            degradation from stressors influencing
                                              possibly incorrectly identify the yellow  overall condition of one of the eight                               water quality, water quantity, instream
                                              lance as present in those drainages.      populations (the Tar population) is                                 habitat, and habitat connectivity. The
                                                                                        estimated to have moderate resiliency,                              stressors we identified that have led to
                                                 Our Response: All survey records
                                                                                        while the remaining six extant                                      the degradation of the yellow lance
                                              from Virginia were reviewed by both the
                                                                                        populations (Patuxent, Rappahannock,                                habitat include development,
                                              State malacologist and the Natural
                                                                                        York, James, Chowan, and Neuse                                      agricultural practices, forest
                                              Heritage Program biologist to verify      populations) are characterized by low
                                              correct identity of species in all survey                                                                     management, barriers such as dams and
                                                                                        resiliency. The Potomac population is                               impoundments, and invasive species. A
                                              locations. Current occupancy was          presumed to be extirpated. An
                                              described as those areas with detections                                                                      brief summary of these primary stressors
                                                                                        assessment of the habitat elements finds                            is presented below; for a full description
                                              in the past 10 years (2005–2015, based    that 86 percent of streams that remain
                                              on when data were analyzed). Survey                                                                           of these stressors, refer to chapter 4 of
                                                                                        part of the current species’ range are                              the SSA report for the yellow lance.
                                              data older than 15 years was included     estimated to be in low or very low
                                              to indicate trends over time, but not                                                                            Development: Development refers to
                                                                                        condition.                                                          urbanization of the landscape, including
                                              analyzed as part of the Current              Once known to occupy streams in
                                              Conditions (see Figure 3–2 on p. 12 of                                                                        (but not limited to) land conversion for
                                                                                        three physiographic regions (Mountain,                              urban and commercial use,
                                              the SSA Report).                          Piedmont, and Coastal Plain), the                                   infrastructure (roads, bridges, utilities),
                                              Summary of Biological Status and          species has lost occurrences in each                                and urban water uses (water supply
                                              Threats                                   physiographic region compared with                                  reservoirs, wastewater treatment, etc.).
                                                                                        historical occurrences, although it is                              The effects of urbanization may include
                                                 Please refer to Chapter 4 of the SSA   still represented by at least one                                   alterations to water quality, water
                                              Report for a more detailed discussion of population in each region. We estimated                              quantity, and habitat (Factor A). Yellow
                                              the factors affecting the yellow lance    that the yellow lance currently has                                 lance adults require clear, flowing water
                                              (see ADDRESSES). Section 4 of the Act (16 reduced adaptive potential relative to                              with a temperature less than 35 degrees
                                              U.S.C. 1533), and its implementing        historical potential due to decreased                               Celsius (°C) (95 degrees Fahrenheit (°F))
                                              regulations in title 50 of the Code of    representation in seven river basins and                            and a dissolved oxygen greater than 3
                                              Federal Regulations at 50 CFR part 424,   three physiographic regions. The                                    milligrams per liter (mg/L). Juveniles
                                              set forth the procedures for adding       species retains most of its known river                             require very specific interstitial
                                              species to the Federal Lists of           basin variability, but its distribution has                         chemistry to complete that life stage:
                                              Endangered and Threatened Wildlife        been greatly reduced in the                                         Low salinity (similar to 0.9 parts per
                                              and Plants. Under section 4(a)(1) of the  Rappahannock, York, Chowan, and                                     thousand (ppt)), low ammonia (similar
                                              Act, we may list a species based on (A)   Neuse River populations. In addition,                               to 0.7 mg/L), low levels of copper and
                                              The present or threatened destruction,    compared to historical distribution, the                            other contaminants, and dissolved
                                              modification, or curtailment of its       species has declined by 70 percent in                               oxygen greater than 1.3 mg/L.
                                              habitat or range; (B) overutilization for the Coastal Plain region and by                                        Impervious surfaces associated with
                                              commercial, recreational, scientific, or  approximately 50 percent in both the                                development negatively affect water
                                              educational purposes; (C) disease or      Piedmont and the Mountain regions.                                  quality when pollutants that accumulate
                                              predation; (D) the inadequacy of          Latitudinal variability is also reduced,                            on impervious surfaces are washed
                                              existing regulatory mechanisms; or (E)    as much of the species’ current                                     directly into the streams during storm
                                              other natural or manmade factors          distribution has contracted and is                                  events. Storm water runoff affects water
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                                              affecting its continued existence. Our    largely limited to the southern portions                            quality parameters such as temperature,
                                              assessment evaluated the biological       of its historical range, primarily in the                           pH, dissolved oxygen, and salinity,
                                              status of the species and threats         Tar River Basin.                                                    which in turn alters the water chemistry
                                              affecting its continued existence. It was    While the overall range of the yellow                            and could make it unsuitable for the
                                              based upon the best available scientific  lance has not changed significantly, the                            yellow lance. Concentrations of
                                              and commercial data and the expert        remaining occupied portions of the                                  contaminants, including nitrogen,
                                              opinion of the SSA team members.          range have become constricted within                                phosphorus, chloride, insecticides,


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                                              14194                Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations

                                              polycyclic aromatic hydrocarbons, and                   population. For complete data on all of               species richness and abundance
                                              personal care products, increase with                   the populations, refer to appendix D of               composition in streams. As stated
                                              urban development.                                      the SSA report.                                       above, the yellow lance is sensitive to
                                                 Urban development can lead to                           Agricultural Practices: The main                   changes in temperature, and sustained
                                              increased variability in streamflow,                    impacts to the yellow lance from                      temperature increases stress and
                                              typically increasing the amount of water                agricultural practices are from nutrient              possibly lead to mortality for the
                                              entering a stream after a storm and                     pollution and water pumping for                       species.
                                              decreasing the time it takes for the water              irrigation (Factor A). Fertilizers and                   Forestry activities often include the
                                              to travel over the land before entering                 animal manure, which are both rich in                 construction of logging roads through
                                              the stream. Stream habitat is altered                   nitrogen and phosphorus, are the                      the riparian zone, which can directly
                                              either directly via channelization or                   primary sources of nutrient pollution                 degrade nearby stream environments
                                              clearing of riparian areas, or indirectly               from agricultural sources. Excess                     (Aust et al. 2011, p. 123). Roads can
                                              via high streamflows that reshape the                   nutrients impact water quality when it                cause localized sedimentation, as well
                                              channel and cause sediment erosion.                     rains or when water and soil containing               as sedimentation traveling downstream
                                              Impervious surfaces associated with                     nitrogen and phosphorus wash into                     into more sensitive habitats. These
                                              increased development cause rain water                  nearby waters or leach into the water                 effects lead to stress and mortality for
                                              to accumulate and flow rapidly into                     table/ground waters causing algal                     the yellow lance, as discussed in
                                              storm drains, thereby becoming                          blooms. These algal blooms can harm                   ‘‘Development,’’ above. While BMPs are
                                              superheated, which can stress or kill                   freshwater mussels by suffocating host                currently widely adhered to, they were
                                              these mussel species when the                           fish and decreasing available oxygen in               not always common practice in the past.
                                              superheated water enters streams.                       the water column.                                     The average implementation rate of
                                              Pollutants like gasoline, oil, and                         It is common practice to pump water                BMPs in the southeast states is at 92
                                              fertilizers are also washed directly into               for irrigation from adjacent streams or               percent. While improper
                                              streams and can kill mussels and other                  rivers into a reservoir pond, or to spray             implementation is rare, it can have
                                              aquatic organisms. The large volumes                    the stream or river water directly onto               drastic negative effects on sensitive
                                              and velocity of water combined with the                 crops. If the water withdrawal is                     aquatic species like freshwater mussels.
                                              extra debris and sediment entering                      excessive or done illegally, it reduces               One small area of riparian zone that is
                                              streams following a storm can stress,                   the amount of water available to                      removed can cause sedimentation and
                                              displace, or kill the yellow lance, and                 downstream sensitive areas during low-                habitat degradation for miles
                                              the host fish species upon which it                     flow months, resulting in dewatering of               downstream.
                                              depends.                                                channels and stranding of mussels,
                                                 A further risk of urbanization is the                leading to desiccation and death. In the              Systematic Changes
                                              accompanying road development that                      Rappahannock River basin, for example,                   Climate Change (Factor E): Aquatic
                                              often results in improperly constructed                 the upper watershed supports largely                  systems are encountering changes and
                                              culverts at stream crossings. These                     agricultural land uses. Sedimentation is              shifts in seasonal patterns of
                                              culverts act as barriers, either as flow                a problem in the upper watershed, as                  precipitation and runoff as a result of
                                              through the culvert varies significantly                stormwater runoff from the major                      climate change. While mussels have
                                              from the rest of the stream, or if the                  tributaries (Rapidan and Hazel rivers)                evolved in habitats that experience
                                              culvert ends up being perched above the                 leaves the Rappahannock River muddy                   seasonal fluctuations in discharge,
                                              stream bed, and host fish (and,                         even after minor storm events.                        global weather patterns can have an
                                              therefore, the yellow lance) cannot pass                According to the 2011 National Land                   impact on the normal regimes (e.g., El
                                              through them. This scenario leads to                    Cover Data, all of the watersheds within              Niño or La Niña). Even during naturally
                                              loss of access to quality habitat, as well              the range of the yellow lance are                     occurring low-flow events, mussels
                                              as fragmented habitat and a loss of                     affected by agricultural land uses, most              become stressed either because they
                                              connectivity between populations of the                 with 20 percent or more of the                        exert significant energy to move to
                                              yellow lance. This situation can limit                  watershed having been converted for                   deeper waters or they succumb to
                                              both genetic exchange and                               agricultural use.                                     desiccation. Because low flows in late
                                              recolonization opportunities.                              Forest Management: Silviculture                    summer and early fall are stress-
                                                 Significant portions of all of the river             activities when performed according to                inducing, droughts during this time of
                                              basins within the range of the yellow                   strict forest practices guidelines (FPGs)             year result in stress and, potentially, an
                                              lance are affected by development, from                 or best management practices (BMPs)                   increased rate of mortality. Droughts
                                              7 percent in the Tar River basin to 25                  can retain adequate conditions for                    have impacted all river basins within
                                              percent in the Patuxent River basin                     aquatic ecosystems; however, when                     the range of the yellow lance, from an
                                              (based on the 2011 National Land Cover                  FPGs/BMPs are not followed,                           ‘‘abnormally dry’’ ranking for North
                                              Data). The Neuse River basin in North                   silviculture can contribute to the myriad             Carolina and Virginia in 2001 on the
                                              Carolina contains one-sixth of the entire               of stressors facing aquatic systems in the            Southeast Drought Monitor scale to the
                                              State’s population, indicating heavy                    Southeast. Both small- and large-scale                highest ranking of ‘‘exceptionally dry’’
                                              development pressure on the watershed.                  forestry activities have a significant                for the entire range of the yellow lance
                                              The Nottoway MU (in the Chowan                          impact upon the physical, chemical,                   in 2002 and 2007. The 2015 drought
                                              population) contains 155 impaired                       and biological characteristics of adjacent            data indicated the entire Southeast
                                              stream miles, 4 major discharges, 32                    small streams. The clearing of large                  ranging from ‘‘abnormally dry’’ to
                                              minor discharges, and over 3,000 road                   areas of forested wetlands and riparian               ‘‘moderate drought’’ or ‘‘severe
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                                              crossings, affecting the quality of the                 systems can eliminate shade provided                  drought.’’ These data are from the first
                                              habitat for the yellow lance. The                       by these canopies, exposing streams to                week in September, indicating a very
                                              Potomac River basin is currently made                   more sunlight and increasing the in-                  sensitive time for drought to be affecting
                                              up of 12.7 percent impervious surfaces,                 stream water temperature. The increase                the yellow lance. The Middle Neuse
                                              changing natural streamflow, reducing                   in stream temperature and light after                 tributaries of the Neuse River basin had
                                              appropriate stream habitat, and                         deforestation alters the                              consecutive drought years from 2005
                                              decreasing water quality throughout the                 macroinvertebrate and other aquatic                   through 2012, indicating sustained


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                                                                   Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations                                         14195

                                              stress on the species over a long period                hydrilla currently having population-                 macroinvertebrate scores, low dissolved
                                              of time. Sedentary freshwater mussels                   level effects on the yellow lance, the                oxygen, low pH, and contain
                                              have limited refugia from disturbances                  spread of this invasive plant is expected             Escherichia coli (also known as E. coli).
                                              such as droughts and floods, and they                   to increase in the future.                            There are 16 non-major and 2 major
                                              are completely dependent on specific                       Barriers: Extinction/extirpation of                discharges within this MU, along with
                                              water temperatures to complete their                    North American freshwater mussels can                 7 dams, 676 road crossings, and
                                              physiological requirements. Changes in                  be traced to impoundment and                          droughts recorded for 4 consecutive
                                              water temperature lead to stress,                       inundation of riffle habitats (shallow                years in 2007–2010. The combination of
                                              increased mortality, and also increase                  water with rapid currents running over                all of these stressors on the sensitive
                                              the likelihood of extinction for the                    gravel or rocks) in all major river basins            aquatic species in this habitat has
                                              species. Increases in the frequency and                 of the central and eastern United States              impacted yellow lance such that no
                                              strength of storm events alter stream                   (Factor A). Upstream of dams, the                     individuals have been recorded here
                                              habitat. Stream habitat is altered either               change from flowing to impounded                      since 1994.
                                              directly via channelization or clearing of              waters, increased depths, increased                      To forecast the biological conditions
                                              riparian areas, or indirectly via high                  buildup of sediments, decreased                       of the yellow lance into the future, we
                                              streamflows that reshape the channel                    dissolved oxygen, and the drastic                     devised a range of plausible future
                                              and cause sediment erosion. The large                   alteration in resident fish populations               scenarios by eliciting expert information
                                              volumes and velocity of water,                          can threaten the survival of mussels and              on the primary stressors anticipated to
                                              combined with the extra debris and                      their overall reproductive success.                   affect the species into the future: habitat
                                              sediment entering streams following a                   Downstream of dams, fluctuations in                   loss and degradation due to
                                              storm, stress, displace, or kill yellow                 flow regimes, minimal releases and                    urbanization and the effects of climate
                                              lance and the host fish species on which                scouring flows, seasonal dissolved                    change. These scenarios were based, in
                                              it depends.                                             oxygen depletion, reduced or increased                part, on the results of urbanization
                                                 Invasive Species: In many areas across               water temperatures, and changes in fish               (Terando et al. 2014) and climate
                                              the States of Maryland, Virginia, and                   assemblages can also threaten the
                                                                                                                                                            models (IPCC, 2013) that predict
                                              North Carolina, aquatic invasive species                survival and reproduction of many
                                                                                                                                                            changes in habitat used by the yellow
                                              are invading aquatic communities and                    mussel species. Because the yellow
                                                                                                                                                            lance. The models that were used to
                                              altering biodiversity by competing with                 lance uses smaller host fish (e.g., darters
                                                                                                                                                            forecast urbanization into the future
                                              native species for food, light, or                      and minnows), it is even more
                                                                                                                                                            projected out 50 years, and climate
                                              breeding and nesting areas. For                         susceptible to impacts from habitat
                                                                                                                                                            change models included that timeframe
                                              example, the Asian clam (Corbicula                      fragmentation due to increasing distance
                                                                                                                                                            as well. The range of plausible future
                                              fluminea) alters benthic substrates,                    between suitable habitat patches and a
                                                                                                                                                            scenarios of yellow lance habitat
                                              competes with native species for limited                low likelihood of host fish swimming
                                                                                                                                                            conditions and population factors
                                              resources, and causes ammonia spikes                    over that distance. Even improperly
                                              in surrounding water when they die off                  constructed culverts at stream crossings              suggest possible extirpation in as many
                                              en masse. The Asian clam is ubiquitous                  can act as significant barriers and have              as five of seven currently extant
                                              across the southeastern United States                   some similar effects as dams on stream                populations. Even the most optimistic
                                              and is present in watersheds across the                 systems. Fluctuating flows through the                model predicted that only two
                                              range of the yellow lance. The flathead                 culvert can vary significantly from the               populations will remain extant in 50
                                              catfish (Pylodictis olivaris) is an apex                rest of the stream, preventing fish                   years, and those populations are
                                              predator known to feed on almost                        passage and scouring downstream                       expected to be characterized by low
                                              anything, including other fish,                         habitats. If a culvert ends up being                  occupancy and abundance. For a more-
                                              crustaceans, and mollusks, and to                       perched above the stream bed, aquatic                 detailed discussion of our evaluation of
                                              impact host fish communities, reducing                  organisms cannot pass through it. These               the biological status of the yellow lance
                                              the amount of fish available as hosts for               barriers not only fragment habitats along             and the factors that may affect its
                                              the mussels to complete their glochidia                 a stream course, they also contribute to              continued existence, please see the SSA
                                              life stage. Introductions of flathead                   genetic isolation of the yellow lance. All            Report (Service, 2017 entire) and the
                                              catfish into rivers in North Carolina                   12 of the MUs containing yellow lance                 proposed rule (82 FR 16559, April 4,
                                              have led to steep declines in numbers of                populations have been impacted by                     2017).
                                              native fish. The flathead catfish has                   dams, with as few as 3 dams in the                    Determination
                                              been documented in the Potomac,                         Fishing Creek subbasin to more than
                                              James, Roanoke, Tar, and Neuse river                    100 dams in the York basin (Service                     Section 4 of the Act (16 U.S.C. 1533),
                                              systems.                                                2016, appendix D). The Middle Neuse                   and its implementing regulations in title
                                                 Hydrilla (Hydrilla verticillata), an                 contains 237 dams and more than 5,000                 50 of the Code of Federal Regulations at
                                              aquatic plant, alters stream habitat,                   stream crossings, so connectivity there               50 CFR part 424, set forth the
                                              decreases flows, and contributes to                     has been severely affected by barriers.               procedures for adding species to the
                                              sediment buildup in streams. High                                                                             Federal Lists of Endangered and
                                              sedimentation can cause suffocation,                    Synergistic Effects                                   Threatened Wildlife and Plants. Under
                                              reduce stream flow, and make it                            In addition to the impacts on the                  section 4(a)(1) of the Act, we may list a
                                              difficult for mussels’ interactions with                yellow lance individually, it is likely               species based on (A) The present or
                                              host fish necessary for development.                    that several of the above summarized                  threatened destruction, modification, or
                                              Hydrilla occurs in several watersheds                   risk factors are acting synergistically or            curtailment of its habitat or range; (B)
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                                              where the yellow lance occurs,                          additively on the species. The combined               overutilization for commercial,
                                              including recent documentation from                     impact of multiple stressors is likely                recreational, scientific, or educational
                                              the Tar River. The dense growth is                      more harmful than a single stressor                   purposes; (C) disease or predation; (D)
                                              altering the flow in this system and                    acting alone. For example, the Meherrin               the inadequacy of existing regulatory
                                              causing sediment buildup, which can                     River MU contains four stream reaches                 mechanisms; or (E) other natural or
                                              cause suffocation in filter-feeding                     with 34 miles of impaired streams. The                manmade factors affecting its continued
                                              mussels. While data are lacking on                      stream reaches have low benthic-                      existence.


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                                              14196                Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations

                                                 We have carefully assessed the best                  habitat modification and destruction                  necessary to halt or reverse the species’
                                              scientific and commercial information                   (Factor A), invasive species (Factor E),              decline by addressing the threats to its
                                              available regarding the past, present,                  and effects of climate change (Factor E)              survival and recovery. The goal of this
                                              and future threats to the yellow lance.                 are currently acting on the species and               process is to restore listed species to a
                                              The yellow lance is presumed                            many of those threats are expected to                 point where they are secure, self-
                                              extirpated from 25 percent (3) of the                   continue into the future, we did not find             sustaining, and functioning components
                                              historically occupied MUs, with most                    that the species is currently in danger of            of their ecosystems.
                                              populations characterized by low                        extinction throughout all of its range.                  Recovery planning includes the
                                              resiliency. Most of the streams that                    According to our assessment of                        development of a recovery outline
                                              remain part of the current species’ range               plausible future scenarios, the species is            shortly after a species is listed and
                                              are estimated to be in low or very low                  likely to become an endangered species                preparation of a draft and final recovery
                                              condition with decreased occupancy of                   in the foreseeable future throughout all              plan. The recovery outline guides the
                                              yellow lance.                                           of its range.                                         immediate implementation of urgent
                                                 The yellow lance faces threats from                     Under the Act and our implementing                 recovery actions and describes the
                                              declines in water quality, loss of stream               regulations, a species warrants listing if            process to be used to develop a recovery
                                              flow, riparian and instream                             it is endangered or threatened                        plan. Revisions of the plan may be done
                                              fragmentation, and deterioration of                     throughout all or a significant portion of            to address continuing or new threats to
                                              instream habitats (Factor A). These                     its range. Because we have determined                 the species, as new substantive
                                              threats, which are expected to be                       that the yellow lance is threatened                   information becomes available. The
                                              exacerbated by continued urbanization                   throughout all of its range, no portion of            recovery plan identifies site-specific
                                              (Factor A) and effects of climate change                its range can be ‘‘significant’’ for                  management actions that set a trigger for
                                              (Factor E), will impact the future                      purposes of the definitions of                        review of the five factors that control
                                              viability of the yellow lance. We did not               ‘‘endangered species’’ and ‘‘threatened               whether a species remains endangered
                                              find that the yellow lance was impacted                 species.’’ See the Final Policy on                    or may be downlisted or delisted and
                                              by overutilization (Factor B), or disease               Interpretation of the Phrase ‘‘Significant            methods for monitoring recovery
                                              or predation (Factor C). While there are                Portion of Its Range’’ in the Endangered              progress. Recovery plans also establish
                                              regulatory mechanisms in place that                     Species Act’s Definitions of                          a framework for agencies to coordinate
                                              may benefit the yellow lance, the                       ‘‘Endangered Species’’ and ‘‘Threatened               their recovery efforts and provide
                                              existing regulatory mechanisms did not                  Species’’ (79 FR 37577; July 1, 2014).                estimates of the cost of implementing
                                              reduce the impact of the stressors to the                  Therefore, on the basis of the best                recovery tasks. Recovery teams
                                              point that the species is not threatened                available scientific and commercial                   (composed of species experts, Federal
                                              by extinction (Factor D).                               information, we are listing the yellow                and State agencies, nongovernmental
                                                 The Act defines an endangered                        lance as threatened in accordance with                organizations, and stakeholders) are
                                              species as any species that is ‘‘in danger              sections 3(6) and 4(a)(1) of the Act.                 often established to develop recovery
                                              of extinction throughout all or a                                                                             plans. When completed, the recovery
                                              significant portion of its range’’ and a                Available Conservation Measures
                                                                                                                                                            outline, draft recovery plan, and the
                                              threatened species as any species ‘‘that                   Conservation measures provided to                  final recovery plan will be available on
                                              is likely to become endangered                          species listed as endangered or                       our website (http://www.fws.gov/
                                              throughout all or a significant portion of              threatened species under the Act                      endangered) or from our Raleigh field
                                              its range within the foreseeable future.’’              include recognition, recovery actions,                office (see FOR FURTHER INFORMATION
                                              We considered whether the yellow                        requirements for Federal protection, and              CONTACT).
                                              lance meets either of these definitions,                prohibitions against certain practices.                  Implementation of recovery actions
                                              and we find that the yellow lance meets                 Recognition through listing results in                generally requires the participation of a
                                              the definition of a threatened species.                 public awareness and conservation by                  broad range of partners, including other
                                              Our analysis of the species’ current and                Federal, State, Tribal, and local                     Federal agencies, States, Tribal,
                                              future conditions, as well as the                       agencies, private organizations, and                  nongovernmental organizations,
                                              conservation efforts discussed above,                   individuals. The Act encourages                       businesses, and private landowners.
                                              show that habitat modification and                      cooperation with the States and requires              Examples of recovery actions include
                                              destruction (Factor A) and other natural                that recovery actions be carried out for              habitat restoration (e.g., restoration of
                                              and manmade factors (Factor E) will                     all listed species. The protection                    native vegetation), research, captive
                                              continue to impact the resiliency,                      required by Federal agencies and the                  propagation and reintroduction, and
                                              representation, and redundancy for the                  prohibitions against certain activities               outreach and education. The recovery of
                                              yellow lance so that it is likely to                    are discussed, in part, below.                        many listed species cannot be
                                              become in danger of extinction                                                                                accomplished solely on Federal lands
                                              throughout all or a significant portion of              Recovery Actions                                      because their range may occur primarily
                                              its range within the foreseeable future.                  The primary purpose of the Act is the               or solely on non-Federal lands. To
                                                 We considered whether the yellow                     conservation of endangered and                        achieve recovery of these species
                                              lance is currently in danger of                         threatened species and the ecosystems                 requires cooperative conservation efforts
                                              extinction and determined that                          upon which they depend. The ultimate                  on private, State, and Tribal lands.
                                              endangered status is not appropriate.                   goal of such conservation efforts is the                 Following publication of this final
                                              The current conditions as assessed in                   recovery of these listed species, so that             listing rule, funding for recovery actions
                                              the yellow lance SSA report show                        they no longer need the protective                    will be available from a variety of
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                                              multiple resilient populations over a                   measures of the Act. Subsection 4(f) of               sources, including Federal budgets,
                                              majority of the species’ historical range.              the Act requires the Service to develop               State programs, and cost-share grants for
                                              The yellow lance still exhibits                         and implement recovery plans for the                  non-Federal landowners, the academic
                                              representation across all three                         conservation of endangered and                        community, and nongovernmental
                                              physiographic regions, and extant                       threatened species. The recovery                      organizations. In addition, pursuant to
                                              populations remain from the Patuxent                    planning process involves the                         section 6 of the Act, the States of
                                              River south to the Neuse River. While                   identification of actions that are                    Maryland, Virginia, and North Carolina


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                                                                   Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations                                        14197

                                              will be eligible for Federal funds to                   Act and its implementing regulations set                (5) Diversion or alteration of surface
                                              implement management actions that                       forth a series of general prohibitions and            or ground water flow; and
                                              promote the protection or recovery of                   exceptions that apply to threatened                     (6) Pesticide/herbicide applications in
                                              the yellow lance. Information on our                    wildlife. The prohibitions of section                 violation of label restrictions.
                                              grant programs that are available to aid                9(a)(1) of the Act, as applied to                       Questions regarding whether specific
                                              species recovery can be found at: http://               threatened wildlife and codified at 50                activities would constitute a violation of
                                              www.fws.gov/grants.                                     CFR 17.31, make it illegal for any person
                                                                                                                                                            section 9 of the Act should be directed
                                                 Please let us know if you are                        subject to the jurisdiction of the United
                                                                                                                                                            to the Raleigh Ecological Services Field
                                              interested in participating in recovery                 States to take (which includes harass,
                                              efforts for the yellow lance.                                                                                 Office (see FOR FURTHER INFORMATION
                                                                                                      harm, pursue, hunt, shoot, wound, kill,
                                                                                                                                                            CONTACT).
                                              Additionally, we invite you to submit                   trap, capture, or collect; or to attempt
                                              any new information on this species                     any of these) threatened wildlife within              Required Determinations
                                              whenever it becomes available and any                   the United States or on the high seas. In
                                              information you may have for recovery                                                                         National Environmental Policy Act (42
                                                                                                      addition, it is unlawful to import;
                                              planning purposes (see FOR FURTHER                                                                            U.S.C. 4321 et seq.)
                                                                                                      export; deliver, receive, carry, transport,
                                              INFORMATION CONTACT).                                   or ship in interstate or foreign                        We have determined that
                                              Critical Habitat                                        commerce in the course of commercial                  environmental assessments and
                                                                                                      activity; or sell or offer for sale in                environmental impact statements, as
                                                 Section 7(a) of the Act requires                     interstate or foreign commerce any                    defined under the authority of the
                                              Federal agencies to evaluate their                      listed species. It is also illegal to                 National Environmental Policy Act
                                              actions with respect to any species that                possess, sell, deliver, carry, transport, or          (NEPA), need not be prepared in
                                              is listed as an endangered or threatened                ship any such wildlife that has been                  connection with listing a species as an
                                              species and with respect to its critical                taken illegally.                                      endangered or threatened species under
                                              habitat, if any is designated. Regulations                 We may issue permits to carry out                  the Endangered Species Act. We
                                              implementing this interagency                           otherwise prohibited activities                       published a notice outlining our reasons
                                              cooperation provision of the Act are                    involving threatened wildlife under                   for this determination in the Federal
                                              codified at 50 CFR part 402. Section                    certain circumstances. Regulations                    Register on October 25, 1983 (48 FR
                                              7(a)(2) of the Act requires Federal                     governing permits are codified at 50                  49244).
                                              agencies to ensure that activities they                 CFR 17.32. With regard to threatened
                                              authorize, fund, or carry out are not                   wildlife, a permit may be issued for the              Government-to-Government
                                              likely to jeopardize the continued                      following purposes: for scientific                    Relationship With Tribes
                                              existence of any endangered or                          purposes, to enhance the propagation or
                                                                                                                                                               In accordance with the President’s
                                              threatened species or destroy or                        survival of the species, and for
                                                                                                                                                            memorandum of April 29, 1994
                                              adversely modify its critical habitat. If a             incidental take in connection with
                                                                                                                                                            (Government-to-Government Relations
                                              Federal action may affect a listed                      otherwise lawful activities. There are
                                                                                                                                                            with Native American Tribal
                                              species or its critical habitat, the                    also certain statutory exemptions from
                                                                                                                                                            Governments; 59 FR 22951), Executive
                                              responsible Federal agency must enter                   the prohibitions, which are found in
                                                                                                                                                            Order 13175 (Consultation and
                                              into consultation with the Service.                     sections 9 and 10 of the Act.
                                                 Federal agency actions within the                       It is our policy, as published in the              Coordination with Indian Tribal
                                              species’ habitat that may require                       Federal Register on July 1, 1994 (59 FR               Governments), and the Department of
                                              conference or consultation or both as                   34272), to identify to the maximum                    the Interior’s manual at 512 DM 2, we
                                              described in the preceding paragraph                    extent practicable at the time a species              readily acknowledge our responsibility
                                              include management and any other                        is listed, those activities that would or             to communicate meaningfully with
                                              landscape-altering activities on Federal                would not constitute a violation of                   recognized Federal Tribes on a
                                              lands administered by the U.S. Fish and                 section 9 of the Act. The intent of this              government-to-government basis. In
                                              Wildlife Service, U.S. Forest Service,                  policy is to increase public awareness of             accordance with Secretarial Order 3206
                                              and National Park Service; issuance of                  the effect of a final listing on proposed             of June 5, 1997 (American Indian Tribal
                                              section 404 Clean Water Act (33 U.S.C.                  and ongoing activities within the range               Rights, Federal-Tribal Trust
                                              1251 et seq.) permits by the U.S. Army                  of a listed species. Activities that the              Responsibilities, and the Endangered
                                              Corps of Engineers; and construction                    Service believes could potentially harm               Species Act), we readily acknowledge
                                              and maintenance of roads or highways                    the yellow lance and result in ‘‘take’’               our responsibilities to work directly
                                              by the Federal Highway Administration.                  include, but are not limited to:                      with tribes in developing programs for
                                                 A careful assessment of the economic                    (1) Unauthorized handling or                       healthy ecosystems, to acknowledge that
                                              impacts that may occur due to a critical                collecting of the species;                            tribal lands are not subject to the same
                                              habitat designation is still ongoing, and                  (2) Destruction or alteration of the               controls as Federal public lands, to
                                              we are in the process of working with                   species’ habitat by discharge of fill                 remain sensitive to Indian culture, and
                                              the States and other partners in                        material, dredging, snagging,                         to make information available to tribes.
                                              acquiring the complex information                       impounding, channelization, or                        There are no tribal lands affected by this
                                              needed to perform that assessment. A                    modification of stream channels or                    listing determination.
                                              proposed rule to designate critical                     banks;                                                References Cited
                                              habitat will be published in the near                      (3) Destruction of riparian habitat
                                              future.                                                 directly adjacent to stream channels that                A complete list of references cited in
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                                                                                                      causes significant increases in                       the SSA Report that informed this
                                              Regulatory Provisions                                   sedimentation and destruction of                      rulemaking is available on the internet
                                                Under section 4(d) of the Act, the                    natural stream banks or channels;                     at http://www.regulations.gov in Docket
                                              Service has discretion to issue                            (4) Discharge of pollutants into a                 No. FWS–R4–ES–2017–0017 and upon
                                              regulations that we find necessary and                  stream or into areas hydrologically                   request from the Raleigh Ecological
                                              advisable to provide for the                            connected to a stream occupied by the                 Services Field Office (see FOR FURTHER
                                              conservation of threatened species. The                 species;                                              INFORMATION CONTACT).



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                                              14198                  Federal Register / Vol. 83, No. 64 / Tuesday, April 3, 2018 / Rules and Regulations

                                              Authors                                                        Regulation Promulgation                                      ■ 2. Amend § 17.11 in paragraph (h) by
                                                                                                               Accordingly, we amend part 17,                             adding an entry for ‘‘Lance, yellow’’ to
                                                The primary authors of this final rule                                                                                    the List of Endangered and Threatened
                                              are the staff members of the Fish and                          subchapter B of chapter I, title 50 of the
                                                                                                             Code of Federal Regulations, as follows:                     Wildlife in alphabetical order under
                                              Wildlife Service’s Species Assessment
                                                                                                                                                                          CLAMS to read as follows:
                                              Team and the Raleigh Ecological                                PART 17—ENDANGERED AND
                                              Services Field Office.                                         THREATENED WILDLIFE AND PLANTS                               § 17.11 Endangered and threatened
                                                                                                                                                                          wildlife.
                                              List of Subjects in 50 CFR Part 17
                                                                                                             ■ 1. The authority citation for part 17                      *       *    *       *    *
                                                Endangered and threatened species,                           continues to read as follows:
                                                                                                                                                                              (h) * * *
                                              Exports, Imports, Reporting and                                  Authority: 16 U.S.C. 1361–1407; 1531–
                                              recordkeeping requirements,                                    1544; and 4201–4245; unless otherwise
                                              Transportation.                                                noted.

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


                                                         *                             *                         *                          *                        *                     *                   *
                                                         CLAMS

                                                       *                                *                        *                 *                                 *                   *                  *
                                              Lance, yellow .................       Elliptio lanceolata ......... Wherever found ...........                  T          83 FR [Insert Federal Register page where the
                                                                                                                                                                           document begins]; 4/3/2018.

                                                         *                             *                         *                          *                        *                     *                   *



                                              *      *       *       *          *                            necessary correction to the critical                         remove the incorrect map at paragraph
                                                Dated February 23, 2018.                                     habitat designation for the Poweshiek                        (28) of the entry for Poweshiek
                                              James W. Kurth,
                                                                                                             skipperling. We are also replacing a map                     skipperling and insert the correct map
                                                                                                             depicting critical habitat for Poweshiek                     in its place. We are also replacing the
                                              Deputy Director, U.S. Fish and Wildlife
                                              Service, exercising the authority of the
                                                                                                             skipperling in Minnesota to make an                          map depicting critical habitat for
                                              Director.                                                      editorial correction in the title.                           Poweshiek skipperling for Minnesota
                                                                                                             DATES: This correction is effective April                    Unit 10 at paragraph (30) to make an
                                              [FR Doc. 2018–06735 Filed 4–2–18; 8:45 am]
                                                                                                             3, 2018.                                                     editorial correction in the title. The old
                                              BILLING CODE 4333–15–P
                                                                                                             FOR FURTHER INFORMATION CONTACT:                             map referred to ‘‘Swift and Chippewa
                                                                                                             Susan Wilkinson, (703) 358–2506. If you                      County,’’ and the new map correctly
                                              DEPARTMENT OF THE INTERIOR                                     use a telecommunications device for the                      refers to ‘‘Swift and Chippewa
                                                                                                             deaf (TDD), call the Federal Relay                           Counties.’’
                                              Fish and Wildlife Service                                      Service at 800–877–8339.                                     Previous Federal Action
                                                                                                             SUPPLEMENTARY INFORMATION: The                                 We listed the Dakota skipper as a
                                              50 CFR Part 17                                                 Dakota skipper (Hesperia dacotae) is                         threatened species and the Poweshiek
                                              [Docket No. FWS–R3–ES–2013–0017;                               listed under the Act as a threatened                         skipperling as an endangered species on
                                              4500030113]                                                    species, and the Poweshiek skipperling                       October 24, 2014 (79 FR 63672) with a
                                                                                                             (Oarisma poweshiek) is listed as                             rule issued under section 4(d) of the Act
                                              RIN 1018–AZ58                                                  endangered. In a final rule that                             for the Dakota skipper. This rule
                                                                                                             published October 1, 2015 (80 FR                             followed publication on October 24,
                                              Endangered and Threatened Wildlife
                                                                                                             59248), we designated critical habitat                       2013, of a proposal to list the Dakota
                                              and Plants; Designation of Critical
                                                                                                             for the two butterfly species pursuant to                    skipper as threatened with a section 4(d)
                                              Habitat for the Dakota Skipper and
                                                                                                             the Act (16 U.S.C. 1531 et seq.). The rule                   rule and the Poweshiek skipperling as
                                              Poweshiek Skipperling; Correction
                                                                                                             added critical habitat for these species                     endangered (78 FR 63573). Also on
                                              AGENCY:   Fish and Wildlife Service,                           to title 50 of the Code of Federal                           October 24, 2013, we published in the
                                              Interior.                                                      Regulations (CFR) at 50 CFR 17.95(i).                        Federal Register a proposed critical
                                              ACTION: Correcting amendments.                                 The rule included 32 maps showing                            habitat designation for the Dakota
                                                                                                             critical habitat areas for the Dakota                        skipper and Poweshiek skipperling (78
                                              SUMMARY:   We, the U.S. Fish and                               skipper and 48 maps showing critical                         FR 63625). We published a final rule
                                              Wildlife Service, published a final rule                       habitat areas for the Poweshiek                              designating critical habitat for the two
                                              in the Federal Register on October 1,                          skipperling. We inadvertently inserted a                     species on October 1, 2015 (80 FR
                                              2015, to designate critical habitat for the                    map showing critical habitat for the                         59248).
                                              Dakota skipper (Hesperia dacotae) and                          Dakota skipper for Minnesota Unit 7 in
                                              the Poweshiek skipperling (Oarisma                             the location where we should have                            Administrative Procedure
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                                              poweshiek), under the Endangered                               included a map showing critical habitat                         As explained above, this rulemaking
                                              Species Act of 1973, as amended (Act).                         for the Poweshiek skipperling for                            is necessary to correct an error
                                              Inadvertently, we published a map of a                         Minnesota Unit 7. The two maps are                           associated with the publication of a map
                                              critical habitat unit for the Dakota                           different because the areas being                            for the wrong species and an editorial
                                              skipper in Minnesota where we should                           designated for each species as                               error related to the title of a map.
                                              have published a map for the Poweshiek                         ‘‘Minnesota Unit 7’’ are different.                          Therefore, under these circumstances,
                                              skipperling. This document makes the                           Therefore, with this document, we                            we have determined, pursuant to 5


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Document Created: 2018-04-03 00:50:30
Document Modified: 2018-04-03 00:50:30
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule is effective May 3, 2018.
ContactPete Benjamin, Field Supervisor, U.S. Fish and Wildlife Service, Raleigh Ecological Services Field Office, 551F Pylon Drive, Raleigh, NC 27606 or telephone 919-856-4520. Persons who use a telecommunications device for the deaf (TDD) may call the Federal Relay Service at 800-877-8339.
FR Citation83 FR 14189 
RIN Number1018-BB45
CFR AssociatedEndangered and Threatened Species; Exports; Imports; Reporting and Recordkeeping Requirements and Transportation

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