99-11187. Designated Critical Habitat; Central California Coast and Southern Oregon/Northern California Coasts Coho Salmon  

  • [Federal Register Volume 64, Number 86 (Wednesday, May 5, 1999)]
    [Rules and Regulations]
    [Pages 24049-24062]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 99-11187]
    
    
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    DEPARTMENT OF COMMERCE
    
    National Oceanic and Atmospheric Administration
    
    50 CFR Part 226
    
    [Docket No. 971029257-9101-02; I.D. 101097A]
    RIN 0648-AG56
    
    
    Designated Critical Habitat; Central California Coast and 
    Southern Oregon/Northern California Coasts Coho Salmon
    
    AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and 
    Atmospheric Administration, Commerce.
    
    ACTION: Final rule and correction.
    
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    SUMMARY: NMFS is designating critical habitat for two Evolutionarily 
    Significant Units (ESUs) of coho salmon (Oncorhynchus kisutch) pursuant 
    to the Endangered Species Act of 1973 (ESA). Critical habitat for the 
    Central California Coast ESU encompasses accessible reaches of all 
    rivers (including estuarine areas and tributaries) between Punta Gorda 
    and the San Lorenzo River (inclusive) in California, including two 
    streams entering San Francisco Bay: Arroyo Corte Madera Del Presidio 
    and Corte Madera Creek. Critical habitat for the Southern Oregon/
    Northern California Coasts ESU encompasses accessible reaches of all 
    rivers (including estuarine areas and tributaries) between the Mattole 
    River in California and the Elk River in Oregon, inclusive.
        The areas described in this final rule represent the current 
    freshwater and estuarine range of the listed species. For both ESUs, 
    critical habitat includes all waterways, substrate, and adjacent 
    riparian zones below longstanding, naturally impassable barriers (i.e., 
    natural waterfalls in existence for at least several hundred years). 
    After considering public comments and reviewing additional scientific 
    information, NMFS is modifying various aspects of the proposed 
    designation, including a revised description of adjacent riparian zones 
    and the exclusion of tribal lands from critical habitat. NMFS has 
    identified several dams in the range of these ESUs that currently block 
    access to habitats
    
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    historically occupied by coho salmon. However, NMFS has not designated 
    these inaccessible areas as critical habitat because the downstream 
    areas are believed to provide sufficient habitat for conserving the 
    ESUs. The economic (and other) impacts resulting from this critical 
    habitat designation are expected to be minimal.
    
    DATES: This rule is effective June 4, 1999. The incorporation by 
    reference of certain publications listed in the rule is approved by the 
    Director of the Federal Register as of June 4, 1999.
    
    FOR FURTHER INFORMATION CONTACT: In Oregon, contact Garth Griffin 
    (Portland) at (503) 231-2005, or Frank Bird (Roseburg) at (541) 957-
    3383. In California, contact Craig Wingert (Long Beach) at (562) 980-
    4021, Patrick Rutten (Santa Rosa) at (707) 575-6050, or Greg Bryant 
    (Eureka) at (707) 441-3684.
    
    SUPPLEMENTARY INFORMATION:
    
    Background
    
        On October 31, 1996, NMFS published its determination to list 
    Central California Coast coho salmon (Oncorhynchus kisutch) as 
    threatened under the ESA (61 FR 56138). In a technical correction to 
    the final listing determination (62 FR 1296, January 9, 1997), NMFS 
    defined the Central California Coast coho salmon ESU to include all 
    coho salmon naturally reproduced in streams between Punta Gorda in 
    Humboldt County, California, and the San Lorenzo River in Santa Cruz 
    County, California (inclusive). Subsequently, on May 6, 1997, NMFS 
    published its determination to list the Southern Oregon/Northern 
    California Coasts coho salmon ESU as threatened under the ESA (62 FR 
    24588) and defined the ESU to include all coho salmon naturally 
    reproduced in streams between Cape Blanco in Curry County, Oregon, and 
    Punta Gorda in Humboldt County, California.
        Section 4(a)(3)(A) of the ESA requires that, to the maximum extent 
    prudent and determinable, NMFS designate critical habitat concurrently 
    with a determination that a species is endangered or threatened. On 
    July 25, 1995, NMFS published a Federal Register document (60 FR 38011) 
    soliciting information and data regarding the biological status of West 
    Coast coho salmon, available salmon conservation measures, and 
    information on areas that may qualify as critical habitat. At the time 
    of final listing for each of these two ESUs, critical habitat was not 
    determinable, because there was not enough information to perform the 
    required analyses. On November 25, 1997, NMFS published a proposed rule 
    designating critical habitat for the listed species (62 FR 62741). In 
    that proposed rule, NMFS solicited public comments and announced public 
    hearings on the proposed action. This final rule takes into 
    consideration the new information and comments received in response to 
    the proposed rule.
        Use of the term ``essential habitat'' within this document refers 
    to critical habitat as defined by the ESA and should not be confused 
    with the requirement to describe and identify Essential Fish Habitat 
    (EFH) pursuant to the Magnuson-Stevens Fishery Conservation and 
    Management Act (16 U.S.C. 1801 et seq).
    
    Definition of Critical Habitat
    
        Critical habitat is defined in section 3(5)(A) of the ESA as ``(i) 
    the specific areas within the geographical area occupied by the species 
    * * * on which are found those physical or biological features (I) 
    essential to the conservation of the species and (II) which may require 
    special management considerations or protection; and (ii) specific 
    areas outside the geographical area occupied by the species * * * upon 
    a determination by the Secretary of Commerce (Secretary) that such 
    areas are essential for the conservation of the species'' (see 16 
    U.S.C. 1532(5)(A)). The term ``conservation,'' as defined in section 
    3(3) of the ESA, means ``* * * to use and the use of all methods and 
    procedures which are necessary to bring any endangered species or 
    threatened species to the point at which the measures provided pursuant 
    to this Act are no longer necessary'' (see 16 U.S.C. 1532(3)).
        In designating critical habitat, NMFS considers the following 
    requirements of the species: (1) Space for individual and population 
    growth, and for normal behavior; (2) food, water, air, light, minerals, 
    or other nutritional or physiological requirements; (3) cover or 
    shelter; (4) sites for breeding, reproduction, or rearing offspring; 
    and, generally, (5) habitats that are protected from disturbance or are 
    representative of the historic geographical and ecological 
    distributions of this species (see 50 CFR 424.12(b)). In addition to 
    these factors, NMFS also focuses on the known physical and biological 
    features (primary constituent elements) within the designated area that 
    are essential to the conservation of the species and that may require 
    special management considerations or protection. These essential 
    features may include, but are not limited to, spawning sites, food 
    resources, water quality and quantity, and riparian vegetation.
    
    Benefits of Critical Habitat Designation
    
        A designation of critical habitat provides Federal agencies with a 
    clear indication as to when consultation under section 7 of the ESA is 
    required, particularly in cases where the proposed action would not 
    result in immediate mortality, injury, or harm to individuals of a 
    listed species (e.g., an action occurring within the critical habitat 
    area when a migratory species is not present). The critical habitat 
    designation, in describing the essential features of the habitat, also 
    helps determine which activities conducted outside the designated area 
    are subject to section 7 (i.e., activities outside critical habitat 
    that may affect essential features of the designated area).
        A critical habitat designation will also assist Federal agencies in 
    planning future actions because the designation establishes, in 
    advance, those habitats that will be given special consideration in 
    section 7 consultations. With a designation of critical habitat, 
    potential conflicts between Federal actions and endangered or 
    threatened species can be identified and possibly avoided early in an 
    agency's planning process.
        Another indirect benefit of designating critical habitat is that it 
    helps focus Federal, tribal, state, and private conservation and 
    management efforts in such areas. Management efforts may address 
    special considerations needed in critical habitat areas--including 
    conservation regulations that restrict both private and Federal 
    activities. The economic and other impacts of these actions would be 
    considered at the time regulations are proposed and, therefore, are not 
    considered in the critical habitat designation process. Other Federal, 
    tribal, state, and local authorities, such as zoning or wetlands and 
    riparian lands protection, may also benefit critical habitat areas.
    
    Summary of Comments
    
        Three public hearings were held on the proposed action: one in Gold 
    Beach, Oregon, on December 8, 1997, one in Eureka, California, on 
    December 9, 1997, and one in Santa Rosa, California, on December 11, 
    1997. Forty-two individuals provided oral testimony at the public 
    hearings. Approximately 5,100 written comments were submitted in 
    response to the proposed rule. While some commenters were in favor of 
    the proposed critical habitat designation, the vast majority of the 
    oral and written comments opposed the proposed rule. New information 
    and comments received in response to the proposed rule are summarized 
    here.
    
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    Public Notification Process
    
        Comment 1: Some commenters felt that the process for proposing 
    critical habitat was not handled well (e.g., difficulties with public 
    notice and time to respond) and that the proposal itself was too ill-
    defined to be fully evaluated.
        Response: NMFS made every attempt to communicate the critical 
    habitat proposal to the affected communities. Three public hearings 
    were held in the range of each ESU in California and Oregon and various 
    local newspapers were notified of the proposed action, comment 
    deadlines, and public meetings. In response to numerous requests, NMFS 
    twice extended the comment period (63 FR 4212, January 28, 1998 and 63 
    FR 23710, April 30, 1998) to allow an additional 5 months for the 
    public to submit comments. Finally, NMFS responded to several requests 
    for supplemental meetings with affected county and local groups to 
    promote better understanding about the proposal and attempt to allay 
    unwarranted fears resulting from misleading information being widely 
    promulgated throughout northern California and southern Oregon. Such 
    misinformation created an unnecessary rift between local citizens and 
    fisheries managers. This is particularly troublesome because most 
    involved generally have the same common goal: restoring threatened 
    salmon to the point where they can once again be a prized and 
    sustainable resource in the region. Any and all parties are encouraged 
    to contact NMFS if they have questions or need additional information 
    regarding this final rule (see FOR FURTHER INFORMATION CONTACT).
    
    Economic Considerations
    
        Comment 2: Numerous commenters believed that NMFS improperly 
    minimized the proposal's economic impacts by separating the designation 
    of critical habitat from the listing process (i.e., by considering only 
    the incremental economic effects of designating critical habitat beyond 
    the effects associated with listing the species). These commenters are 
    concerned that by separating the costs associated with the various 
    administrative actions (e.g., listing, critical habitat designation, 
    section 7 consultations), NMFS underestimated the real economic 
    consequences of protecting listed coho salmon. Some commenters 
    countered that any economic costs would be offset once the coho 
    fisheries were restored. Many commenters objected to NMFS' 
    interpretation that the impact of critical habitat designation is 
    subsumed by the costs associated with protections under section 7 of 
    the ESA.
        Response: NMFS disagrees with the assertion that it has improperly 
    minimized the economic impacts by separating the designation of 
    critical habitat from the listing process. Rather, the ESA is 
    unambiguous in how it addresses economic impacts; it prohibits the 
    consideration of economic impacts in the listing process, but requires 
    analysis of economic impacts when designating critical habitat. Our 
    reading of these separate requirements for each determination leads us 
    to an incremental analysis in which only the economic impacts resulting 
    from the designation of the critical habitat are considered.
        Since NMFS is designating the current range of the listed species 
    as critical habitat, this designation will not impose any additional 
    requirements or economic effects beyond those which already accrue from 
    section 7 of the ESA, which is triggered by the species' listing. 
    Section 7 requires Federal agencies to ensure that any action they 
    carry out, authorize, or fund is not likely to jeopardize the continued 
    existence of any listed species or result in the destruction or adverse 
    modification of habitat determined to be critical. The consultation 
    requirements of section 7 are nondiscretionary and are effective at the 
    time of species' listing. Therefore, Federal agencies must consult with 
    NMFS and ensure their actions do not jeopardize a listed species, 
    regardless of whether critical habitat is designated.
        Most of the effect on non-Federal interests will result from the 
    protective regulations of 4(d) of the ESA and the no-jeopardy 
    requirement of section 7 of the ESA, both of which are a function of 
    listing a species, not designating its critical habitat. Whether 
    critical habitat is designated, non-Federal interests must conduct 
    their actions in a manner consistent with the requirements of the ESA. 
    When a species is listed, non-Federal interests must comply with the 
    prohibitions on takings found in section 9 of the ESA and associated 
    regulations. If the activity is funded, permitted, or authorized by a 
    Federal agency, that agency must comply with the non-jeopardy mandate 
    of section 7 of the ESA, which also results from listing a species, not 
    from designating its critical habitat. Once critical habitat is 
    designated, the agency must avoid actions that destroy or adversely 
    modify that critical habitat. However, pursuant to NMFS' ESA 
    implementing regulations, any action that destroys or adversely 
    modifies critical habitat is also likely to jeopardize the continued 
    existence of the species (See the definitions in 50 CFR 402.02). 
    Therefore, NMFS does not anticipate that the designation will result in 
    significant additional requirements for non-Federal interests.
        Notwithstanding its lack of economic impact, the designation of 
    critical habitat remains important because it identifies habitat that 
    is essential for the continued existence of a species and, therefore, 
    indicates habitat that may require special management attention. This 
    facilitates and enhances Federal agencies' ability to comply with 
    section 7 of the ESA by ensuring that they are aware of it when their 
    activities may affect listed species and habitats essential to support 
    them. In addition to aiding Federal agencies in determining when 
    consultations are required pursuant to section 7(a)(2) of the ESA, 
    critical habitat can aid an agency in fulfilling its broader obligation 
    under section 7(a)(1) to use its authority to carry out programs for 
    the conservation of listed species.
        Comment 3: A number of commenters were under the impression that 
    critical habitat is equivalent to a ``set-aside'' or an easement and 
    that by its nature was tantamount to an illegal and unconstitutional 
    ``taking'' of private property. Some commenters felt that designating 
    critical habitat abrogated Executive Order 12630 and the June 30, 1988, 
    Attorney General's ``Guidelines for Evaluation and Risk Avoidance of 
    Unanticipated Takings.'' Many of these commenters provided estimates 
    and analyses describing specific costs they believed they would incur 
    as a result of the proposed critical habitat designation. These 
    commenters suggested that they should be monetarily reimbursed for any 
    financial hardship resulting from a designation of critical habitat.
        Response: A critical habitat designation does not imply that 
    private land would be confiscated or taken without just compensation. A 
    critical habitat designation affects private land only when a Federal 
    action is involved. In the overwhelming majority of cases, private 
    landowners are not precluded from using their land as a result of the 
    critical habitat designation. In a separate rulemaking, NMFS has 
    adopted a regulation that prohibits the take of listed coho, which 
    includes take by actions that destroy habitat (62 FR 38479). This 
    regulation may have some impact on land uses that can be shown to have 
    harmed salmon (for example, placing barriers to salmon migration in a 
    stream). But this regulation should not be confused with the 
    designation of critical habitat. In the course of deciding to make this 
    final designation, the
    
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    Department of Commerce has complied with Executive Order 12630, 
    Government Actions and Interference with Constitutionally Protected 
    Property Rights.
    
    Compliance With National Environmental Policy Act (NEPA)
    
        Comment 4: Some commenters believed that NMFS should prepare an 
    environmental impact statement pursuant to NEPA on the critical habitat 
    designation because designation is a major Federal action and will have 
    a significant impact on the environment.
        Response: Under section 4(b)(2) of the ESA, the Secretary is 
    required to designate critical habitat on the basis of the best 
    scientific data available after taking into account the ``* * * 
    relevant impacts of specifying any particular area as critical 
    habitat''. In past critical habitat designations, NMFS has performed 
    analysis of the kind requested here: Environmental analysis under NEPA. 
    In all such cases NMFS has determined that mere designation of critical 
    habitat has no adverse environmental impacts. In the time since these 
    analyses were performed, it has become NMFS' policy, as well as that of 
    the U.S. Fish and Wildlife Service (FWS), that designating critical 
    habitat has no impact that requires a NEPA analysis.
    
    Scope and Extent of Critical Habitat
    
        The majority of commenters raised issues regarding the geographic 
    scope and extent of proposed critical habitat; in particular, the 
    designation of adjacent riparian zones as critical habitat. Critical 
    habitat is defined in section 3(5)(A) of the ESA as the specific areas 
    within the geographic area occupied by the species on which are found 
    those physical or biological features that are essential to the 
    conservation of the species and that may require special management 
    considerations or protection. Based on commenters' concerns and on new 
    information received during the public comment period, NMFS has refined 
    its designation of critical habitat for both the Southern Oregon/
    Northern California Coasts and Central California Coast coho salmon 
    ESUs. The following sections, partitioned by habitat type, address 
    these commenters' concerns and clarify NMFS' designation of critical 
    habitat for these ESUs.
    
    Freshwater and Estuarine Habitats
    
        Comment 5: Numerous commenters felt that a far more complete 
    scientific analysis was required before critical habitat could be 
    designated and, as a result, requested that the agency withdraw the 
    proposed rule. Several commenters questioned NMFS' delineation of 
    critical habitat as including all areas currently accessible to the 
    species, and requested more specificity as to which stream reaches are 
    critical habitat. Some commenters sought designation of unoccupied 
    streams as critical habitat, while others noted that some local creeks 
    and streams never had coho salmon and requested designation of only 
    those areas where species restoration is feasible. The Oregon 
    Department of Fish and Wildlife (ODFW) requested that NMFS consider 
    using specific ``core areas'' for coho salmon and sought clarification 
    of NMFS' interpretation that coho salmon are rare in southern Oregon. 
    One commenter noted that coho salmon have not been documented recently 
    in Pilarcitos Creek (San Mateo County, California), and noted that 
    Stone Dam has blocked upstream areas for over 100 years. This commenter 
    believed that adverse hydrologic conditions and degraded habitat would 
    preclude this basin from playing a critical role in the species' 
    recovery. One commenter requested that NMFS specify that side channels 
    and off-channel wetlands are included in critical habitat, and that 
    beaver dams, alluvial deposits, and trees be identified as essential 
    features of coho salmon habitat. Another commenter noted that NMFS 
    misidentified Mill Valley Creek in San Francisco Bay; it is actually 
    named ``Arroyo Corte Madera Del Presidio'' on U.S. Geological Survey 
    (USGS) maps. The U.S. National Park Service (NPS) questioned whether 
    Redwood Creek was identified as critical habitat for coho salmon.
        Response: While the proposed rule described the lack of consistent 
    and robust data sets with which to discern the species' distribution at 
    a fine scale (62 FR 62741, November 25, 1997), NMFS believes that the 
    best available distribution information is sufficient to characterize 
    basin-level designations of critical habitat for the listed species. 
    The California and Oregon mapping efforts (e.g., ODFW's core area 
    assessment) cited in the proposed rule are nearing completion, but have 
    yet to reach final adoption and must be viewed as good, but tentative, 
    descriptions of areas occupied by or critical for coho salmon. NMFS 
    believes that these mapping efforts hold great promise for focusing 
    habitat protection and restoration efforts and will continue to use the 
    State's expertise to discern coho distribution when specific actions 
    warrant (e.g., during ESA section 7 consultations). However, the 
    limited data across the range of both ESUs, as well as dissimilarities 
    in data types within the Southern Oregon/Northern California Coasts 
    ESU, continue to make it difficult to define this species' distribution 
    at a finer scale than the USGS hydrologic units (i.e., basins) 
    identified in the proposed rule. Similarly, this limitation precludes 
    NMFS from restricting critical habitat to streams where restoration may 
    or may not be feasible.
        NMFS' preferred approach to identifying critical habitat is to 
    designate all areas accessible to the species within the range of 
    hydrologic units in the range of each ESU. While this may not provide 
    the level of resolution to define the species' presence or absence in 
    specific local creeks and streams, NMFS believes that adopting a more 
    inclusive, watershed-based description of critical habitat is 
    appropriate because it (1) recognizes the species' use of diverse 
    habitats and underscores the need to account for all of the habitat 
    types supporting the species' freshwater and estuarine life stages, 
    from small headwater streams to migration corridors and estuarine 
    rearing areas; (2) takes into account the natural variability in 
    habitat use that makes precise mapping problematic (e.g., some streams 
    may have fish present only in years with plentiful rainfall); and (3) 
    reinforces the important linkage between aquatic areas and adjacent 
    riparian/upland areas. While unoccupied streams are excluded from 
    critical habitat, NMFS reiterates the proposed rule language that ``it 
    is important to note that habitat quality in this current range is 
    intrinsically related to the quality of upland areas and of 
    inaccessible headwater or intermittent streams which provide key 
    habitat elements (e.g., large woody debris, gravel, water quality) 
    crucial for coho in downstream reaches.''
        In the proposed rule, NMFS noted that the ODFW considered coho 
    salmon ``rare'' in coastal streams draining the Siskiyou Mountains, 
    citing a recent ``Biennial Report on the Status of Wild Fish in Oregon 
    (ODFW, 1995). In fact, this report identifies 10 Oregon coho 
    populations in the range of the Southern Oregon/Northern California 
    Coasts ESU (Elk, Rogue, Pistol, Chetco, and Winchuck Rivers, and 
    Hubbard, Brush, Mussel, Euchre, and Hunter Creeks). The report noted 
    that coho populations are currently located in the Rogue and Winchuck 
    River basins, but are ``very rare in the other coastal basins.'' 
    Subsequent discussions with ODFW biologists has yielded additional, 
    site-specific information regarding coho salmon in several southern 
    Oregon streams, notably the Pistol and Chetco
    
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    Rivers. These discussions have raised the issue as to whether viable 
    populations still occur in these basins. Until this issue is resolved, 
    NMFS will continue to consider reaches accessible to coho salmon in 
    these and other basins as critical habitat for the species. If 
    additional information becomes available, NMFS will revise the critical 
    habitat designation for this ESU as appropriate.
        Similarly, NMFS acknowledges that Pilarcitos Creek and other 
    coastal drainages may have little suitable habitat for coho salmon or 
    are rarely inhabited by the species (although information provided by 
    the commenter indicates that Pilarcitos Creek does contain habitat for 
    other salmonids and that the creek could be used by coho salmon 
    straying from other coastal streams). As noted previously, the paucity 
    of information regarding coho salmon distribution precludes NMFS from 
    identifying specific drainages or river reaches occupied by the 
    species. In addition, the current low abundance of the species makes it 
    difficult to rule out any stream for recovery since the remnant 
    populations may need whatever habitat is available in order to persist. 
    In the case of Pilarcitos Creek it is unclear whether the basin has 
    been monitored sufficiently that firm conclusions about the species' 
    presence/absence can be made. Instead, NMFS believes that the most 
    prudent approach to characterizing critical habitat is to include all 
    areas accessible to listed coho salmon. The key issue raised by these 
    and other commenters is whether activities in the Pilarcitos Creek 
    watershed and other coastal drainages could have an adverse effect on 
    the listed species. In streams where there is limited species 
    distribution information, NMFS biologists would make their best 
    professional judgement about the access, to and suitability of, 
    available habitat and what, if any, impacts would occur on the listed 
    fish as a result of a specific activity. Few if any effects would 
    result from an activity where it is well-documented that the species 
    makes little use of a stream reach and the existing habitat conditions 
    are poor.
        NMFS agrees with the statements by one commenter that beaver dams 
    and their associated habitat changes (e.g., channel flooding, and flow 
    and siltation changes) often create ideal conditions for coho salmon. 
    Some of the beneficial habitat effects from beaver activity include 
    improved rearing and overwintering habitat, increased water volumes 
    during low flows, and backwater habitat refuge areas during floods 
    (Swanston, 1991). NMFS will identify beaver removal as an activity 
    potentially requiring special management consideration, and encourages 
    landowners and agencies to promote beaver habitation as one means by 
    which to support coho salmon recovery. NMFS also agrees with this 
    commenter's assertion that side/off-channel habitats are important for 
    coho salmon and has retained reference to these habitats in this final 
    rule. However, NMFS has not specifically identified trees and alluvial 
    deposits as essential features because these habitat components are 
    already addressed in the proposed rule's list of essential features, 
    specifically the categories of substrate, cover/shelter, and riparian 
    vegetation (see Critical Habitat of California and Southern Oregon Coho 
    Salmon).
        Finally, NMFS concurs that the San Francisco Bay stream ``Arroyo 
    Corte Madera Del Presidio'' was misidentified as Mill Valley Creek and 
    has corrected the error in this final rule. Also, NMFS clarifies for 
    NPS that the basin containing Redwood Creek (hydrologic unit #18010102) 
    is identified as containing critical habitat for the Southern Oregon/
    Northern California Coasts coho salmon ESU.
    
    Adjacent Riparian Zones
    
        Comment 6: While several commenters supported NMFS' proposal to 
    include the adjacent riparian zone as critical habitat, the vast 
    majority were against this approach. Many commenters noted the lack of 
    justification for including adjacent riparian zones of 300 ft (91.4 
    meters (m)) from each side of a stream in the critical habitat 
    proposal. Moreover, they felt that proposing to designate these zones 
    was arbitrary and excessive. Several commenters offered possible lesser 
    solutions to defining adjacent riparian zones, including: only the 
    actual inhabited stream reaches themselves, a 50-ft or 30-m width to 
    the riparian boundary, a site-potential tree height, and the 10-year 
    flood plain. One commenter correctly noted that NMFS' proposal 
    referenced a ``horizontal'' rather than ``slope'' distance, which was 
    inconsistent with the Northwest Forest Plan's (NFP's) riparian reserve 
    definition.
        Response: NMFS agrees that the proposed rule did not adequately 
    describe the rationale for identifying adjacent riparian zones as part 
    of critical habitat. NMFS believes it is important to include these 
    areas in the designation of critical habitat for several reasons. The 
    ESA defines critical habitat to include areas ``on which are found 
    those physical or biological features * * * essential to the 
    conservation of the species and * * * which may require special 
    management considerations or protection.'' These essential features for 
    salmon include, but are not limited to, spawning sites, food resources, 
    water quality and quantity, and riparian vegetation (see 50 CFR 
    424.12(b)). Riparian areas form the basis of healthy watersheds and 
    affect these primary constituent elements; therefore, they are 
    essential to the conservation of the species and need to be included as 
    critical habitat.
        NMFS' past critical habitat designations for listed anadromous 
    salmonids have included the adjacent riparian zone as part of the 
    designation. In the final designations for Snake River spring/summer 
    chinook, fall chinook, and sockeye salmon (58 FR 68543, December 28, 
    1993), NMFS included the adjacent riparian zone as part of critical 
    habitat and defined it in the regulation as those areas within a 
    horizontal distance of 300 ft (91.4 m) from the normal high water line. 
    In the critical habitat designation for Sacramento River winter run 
    chinook (58 FR 33212, June 16, 1993), NMFS included ``adjacent riparian 
    zones'' as part of the critical habitat but did not define the extent 
    of that zone in the regulation. The preamble to that rule stated that 
    the adjacent riparian zone was limited to ``those areas that provide 
    cover and shade.''
        Streams and stream functioning are inextricably linked to adjacent 
    riparian and upland (or upslope) areas. Streams regularly submerge 
    portions of the riparian zone via floods and channel migration, and 
    portions of the riparian zone may contain off-channel rearing habitats 
    used by juvenile salmonids, especially during periods of high flow. The 
    riparian zone also provides an array of important watershed functions 
    that directly benefit salmonids. Vegetation in the zone shades the 
    stream, stabilizes banks, and provides organic litter and large woody 
    debris. The riparian zone stores sediment, recycles nutrients and 
    chemicals, mediates stream hydraulics, and controls microclimate. 
    Healthy riparian zones help ensure water quality essential to 
    salmonids, as well as the forage species they depend on (Reiser and 
    Bjornn, 1979; Meehan, 1991; Federal Emergency Management Agency (FEMA), 
    1993; and Spence et al., 1996). Human activities in the adjacent 
    riparian zone, or in upslope areas, can harm stream function and can 
    harm salmonids, both directly and indirectly, by interfering with the 
    watershed functions described here. For example, timber harvest, road-
    building, grazing, cultivation, and other activities can increase 
    sediment, destabilize banks,
    
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    reduce organic litter and woody debris, increase water temperatures, 
    simplify stream channels, and increase peak flows. These adverse 
    modifications reduce the value of habitat for salmon and, in many 
    instances, may result in injury to, or mortality of, fish. Because 
    human activity may adversely affect these watershed functions and 
    habitat features, NMFS concluded the adjacent riparian zone could 
    require special management consideration, and, therefore, was 
    appropriate for inclusion in critical habitat.
        The Snake River salmon critical habitat designation relied on 
    analyses and conclusions reached by the Forest Ecosystem Management 
    Assessment Team (FEMAT) 1993, regarding interim riparian reserves for 
    fish-bearing streams on Federal lands within the range of the northern 
    spotted owl. The interim riparian reserve recommendations in the FEMAT 
    report were based on a systematic review of the available literature, 
    primarily for forested habitats, concerning riparian processes as a 
    function of distance from stream channels. The interim riparian 
    reserves identified in the FEMAT report for fish-bearing streams on 
    Federal forest lands are intended to (1) provide protection to 
    salmonids, as well as riparian-dependent and associated species, 
    through the protection of riparian processes that influence stream 
    function, and (2) provide a high level of fish habitat and riparian 
    protection until site-specific watershed and project analyses can be 
    completed. The FEMAT report identified several alternative ways that 
    interim riparian reserves providing a high level of protection could be 
    defined, including the 300-ft (91.4 m) slope distance, a distance 
    equivalent to two site-potential tree heights, the outer edges of 
    riparian vegetation, the 100-year flood plain, or the area between the 
    edge of the active stream channel to the top of the inner gorge, 
    whichever is greatest. The U.S. Forest Service (USFS) and U.S. Bureau 
    of Land Management (BLM) ultimately adopted these riparian reserve 
    criteria as part of an Aquatic Conservation Strategy aimed at 
    conserving fish, amphibians, and other aquatic-and riparian-dependent 
    species in the Record of Decision (ROD) for the Northwest Forest Plan 
    (NFP) (FEMAT ROD, 1994).
        While NMFS has used the findings of the FEMAT report to guide its 
    analyses in ESA section 7 consultations with USFS and BLM regarding 
    management of Federal lands, NMFS recognizes that the interim riparian 
    reserves may be conservative with regard to the protection of adjacent 
    riparian habitat for salmonids since they are designed to protect 
    terrestrial species that are riparian dependent or associated as well 
    as salmonids. Moreover, NMFS' analyses have focused more on the stream 
    functions important to salmonids and on how proposed activities will 
    affect the riparian area's contribution to properly functioning 
    conditions for salmonid habitat.
        Since the adoption of the NFP, NMFS has gained experience working 
    with Federal and non-Federal landowners to determine the likely effects 
    of proposed land management actions on stream functions. In freshwater 
    and estuarine areas, these activities include, but are not limited to, 
    agriculture; forestry; grazing; diking and bank stabilization; 
    construction/urbanization; dam construction/operation; dredging and 
    dredged spoil disposal; habitat restoration projects; irrigation 
    withdrawal, storage, and management; mineral mining; road building and 
    maintenance; sand and gravel mining; wastewater/pollutant discharge; 
    wetland and floodplain alteration; and woody debris/structure removal 
    from rivers and estuaries. NMFS has developed numerous tools to assist 
    Federal agencies in analyzing the likely impacts of their activities on 
    anadromous fish habitat. With these tools, Federal agencies are better 
    able to judge the impacts of their actions on salmonid habitat, taking 
    into account the location and nature of their actions. NMFS' primary 
    tool guiding Federal agencies is a document titled ``Making Endangered 
    Species Act Determinations of Effect for Individual or Grouped Actions 
    at the Watershed Scale'' (NMFS, 1996a). This document presents 
    guidelines to facilitate and standardize determinations of ``effect'' 
    under the ESA and includes a matrix for determining the condition of 
    various habitat parameters. This matrix is being implemented throughout 
    northern California and Oregon coastal watersheds and is expected to 
    help guide efforts to define salmonid risk factors and conservation 
    strategies throughout the West Coast.
        Several recent literature reviews have addressed the effectiveness 
    of various riparian zone widths for maintaining specific riparian 
    functions (e.g., sediment control, large woody debris recruitment) and 
    overall watershed processes. These reviews provide additional useful 
    information about riparian processes as a function of distance from 
    stream channels. For example, Castelle et al. (1994) conducted a 
    literature review of riparian zone functions and concluded that 
    riparian widths in the range of 30 m (98 ft) appear to be the minimum 
    needed to maintain biological elements of streams. They also noted that 
    site-specific conditions may warrant substantially larger or smaller 
    riparian management zones. Similarly, Johnson and Reba (1992) 
    summarized the technical literature and found that available 
    information supported a minimum 30-m riparian management zone for 
    salmonid protection.
        A recent assessment funded by NMFS and several other Federal 
    agencies reviewed the technical basis for various riparian functions as 
    they pertain to salmonid conservation (Spence et al., 1996). These 
    authors suggest that a functional approach to riparian protection 
    requires a consistent definition of riparian ecosystems based on 
    ``zones of influence'' for specific riparian processes. They noted that 
    in constrained reaches where the active channel remains relatively 
    stable through time, riparian zones of influences may be defined based 
    on site-potential tree heights and distance from the active channel. In 
    contrast, they note that, in unconstrained reaches (e.g., streams in 
    broad valley floors) with braided or shifting channels, the riparian 
    zone of influence is more difficult to define, but recommend that it is 
    more appropriate to define the riparian zone based on some measure of 
    the extent of the flood plain.
        Spence et al. (1996) reviewed the functions of riparian zones that 
    are essential to the development and maintenance of aquatic habitats 
    favorable to salmonids and the available literature concerning the 
    riparian distances that would protect these functional processes. Many 
    of the studies indicate that riparian management widths designed to 
    protect one function in particular, recruitment of large woody debris, 
    are likely to be adequate to protect other key riparian functions. The 
    reviewed studies concluded that the vast majority of large woody debris 
    is obtained within one site-potential tree height from the stream 
    channel (Murphy and Koski, 1989; McDade et al., 1990; Robison and 
    Beschta, 1990; Van Sickle and Gregory, 1990; FEMAT, 1993; and 
    Cederholm, 1994). Based on the available literature, Spence et al. 
    (1996) concluded that fully protected riparian management zones of one 
    site-potential tree would adequately maintain 90 to 100 percent of most 
    key riparian functions of Pacific Northwest forests if the goal was to 
    maintain instream processes over a time frame of years to decades.
        Based on experience gained since the designation of critical 
    habitat for Snake River salmon and after considering public comments 
    and reviewing
    
    [[Page 24055]]
    
    additional scientific information regarding riparian habitats, NMFS is 
    re-defining coho salmon critical habitat based on key riparian 
    functions. Specifically, the adjacent riparian area is defined as the 
    area adjacent to a stream that provides the following functions: shade, 
    sediment, nutrient or chemical regulation, streambank stability, and 
    input of large woody debris or organic matter. Specific guidance on 
    assessing the potential impacts of land use activities on riparian 
    functions can be obtained by consulting with NMFS (see ADDRESSES), 
    local foresters, conservation officers, fisheries biologists, or county 
    extension agents.
        The physical and biological features that create properly 
    functioning salmonid habitat vary throughout the range of coho salmon 
    and the extent of the adjacent riparian zone may change accordingly, 
    depending on the landscape under consideration. While a site-potential 
    tree height can serve as a reasonable benchmark in some cases, site-
    specific analyses provide the best means to characterize the adjacent 
    riparian zone because such analyses are more likely to accurately 
    capture the unique attributes of a particular landscape. Knowing what 
    may be a limiting factor to the properly functioning condition of a 
    stream channel on a land use or land type basis and how that may or may 
    not affect the function of the riparian zone will significantly assist 
    Federal agencies in assessing the potential for impacts to listed coho 
    salmon. On Federal lands within the range of the northern spotted owl, 
    Federal agencies should continue to rely on the Aquatic Conservation 
    Strategy of the NFP to guide their consultations with NMFS. Where there 
    is a Federal action on non-Federal lands, Federal agencies should 
    consider the potential effects of the activities they fund, permit, or 
    authorize on the riparian zone adjacent to a stream that may influence 
    the following functions: shade, sediment delivery to the stream, 
    nutrient or chemical regulation, streambank stability, and the input of 
    large woody debris or organic matter. In areas where the existing 
    riparian zone is seriously diminished (e.g., in many urban settings and 
    agricultural settings where flood control structures are prevalent), 
    Federal agencies should focus on maintaining any existing riparian 
    functions and restoring others where appropriate; (e.g., by cooperating 
    with local watershed groups and landowners). NMFS acknowledges in its 
    description of riparian habitat function that different land use types 
    (e.g., timber, urban, and agricultural) will have varying degrees of 
    impact and that activities requiring a Federal permit will be evaluated 
    on the basis of disturbance to the riparian zone. In many cases the 
    evaluation of an activity may focus on a particular limiting factor for 
    a watercourse (e.g., temperature, stream bank erosion, sediment 
    transport) and whether that activity may or may not contribute to 
    improving or degrading the riparian habitat.
        Finally, NMFS emphasizes that a designation of critical habitat 
    does not prohibit landowners from conducting actions that modify 
    streams or the adjacent terrestrial habitat. Critical habitat 
    designation serves to identify important areas and essential features 
    within those areas, thus alerting both Federal and non-Federal entities 
    to the importance of the area for listed salmonids. Federal agencies 
    are required by the ESA to consult with NMFS to ensure that any action 
    they authorize, fund, or carry out is not likely to destroy or 
    adversely modify critical habitat in a way that appreciably diminishes 
    the value of critical habitat for both the survival and the recovery of 
    the listed species. The designation of critical habitat will assist 
    Federal agencies in evaluating how their actions on Federal or non-
    Federal lands may affect listed coho salmon and determining when they 
    should consult with NMFS on the impacts of their actions. When a 
    private landowner requires a Federal permit that may result in the 
    modification of coho salmon habitat, Federal permitting agencies will 
    be required to ensure that the permitted action, regardless of whether 
    it occurs in the stream channel, adjacent riparian zone, or upland 
    areas, does not appreciably diminish the value of critical habitat for 
    both the survival and recovery of the listed species or jeopardize the 
    species' continued existence. For other actions, landowners should 
    consider the needs of the listed fish and NMFS will assist them in 
    assessing the impacts of actions on listed fish.
    
    Dams and Barriers
    
        Comment 7: Several commenters requested that NMFS conduct a more 
    detailed analysis of areas above existing dams before concluding that 
    these areas do not constitute critical habitat. Some suggested that 
    NMFS consider installing fish ladders and passage facilities to allow 
    coho salmon access to areas historically occupied. Two commenters 
    requested that NMFS add additional dams to the lists of impassable 
    manmade structures; specifically, Phoenix Dam in the Corte Madera Creek 
    basin, California; and Willow Lake, Fish Lake, Agate Lake, Emigrant 
    Lake, and Selmac Lake Dams in Oregon's Rogue River basin. One commenter 
    provided information indicating that Matthews Dam in the Mad River 
    basin should be excluded from the list of barriers because coho salmon 
    historically never occupied the areas upstream. One commenter noted 
    that Peters Dam was completed in 1953, not 1940 as stated in the 
    proposed rule.
        Response: NMFS' ESA implementing regulations specify that 
    unoccupied areas are not to be included in critical habitat unless the 
    present range would be inadequate to ensure the conservation of the 
    species (50 CFR 424.12(e)). As the proposed rule states, dams currently 
    block approximately 9 to 11 percent of the historic range of each ESU. 
    The six additional dams identified by two commenters do not add 
    significantly to these blocked percentages, and the ODFW stated that 
    the amount of blocked historic habitat above the five Oregon dams is 
    ``thought to be low and not essential to maintaining or restoring coho 
    salmon in the Rogue River basin.'' While the blocked areas are 
    proportionally significant in certain basins, NMFS believes these areas 
    are not currently essential for the recovery of either ESU because an 
    array of habitat types (i.e., low and high gradient reaches) are still 
    accessible in downstream areas historically used by coho salmon.
        NMFS has reviewed, and concurs with, the information submitted by 
    commenters requesting that six additional structures be added to the 
    list of dams/reservoirs representing the upstream extent of critical 
    habitat. Also, for the reasons presented by the commenter, NMFS agrees 
    that Matthews Dam should not be included in the list of dams within the 
    range of the Southern Oregon/Northern California Coasts ESU. NMFS also 
    concurs with the corrections regarding the completion date for Peters 
    Dam and the naming of Seeger Dam (previously identified as Nicasio 
    Dam).
        NMFS' intent in identifying specific dams in each ESU was to 
    clarify the upstream extent of known occupied reaches for each ESU and 
    to contrast these barriers with smaller, ephemeral barriers (e.g., 
    culverts, push-up dams, etc.) that the agency does not view as 
    impassable structures. NMFS does not intend to ``write off'' potential 
    habitats above these dams, but instead will fully consider the need to 
    include these blocked habitats in the recovery planning process and in 
    ESA section 7 consultations. If future analyses reveal that these areas 
    are essential for the
    
    [[Page 24056]]
    
    species' conservation or could contribute to an expedited recovery of 
    either ESU, NMFS will revise the critical habitat designation and 
    promote efforts to gain access to blocked habitats.
    
    Marine Habitats
    
        Comment 8: Numerous commenters questioned why NMFS had not 
    designated critical habitat in marine areas. Some recommended that NMFS 
    revise its designation based on the recent EFH recommendations which 
    include marine areas over portions of the continental shelf.
        Response: NMFS is currently re-evaluating its previous 
    determination to exclude ocean areas as critical habitat for these 
    ESUs, in particular the issue of whether marine areas require special 
    management consideration or protection. If warranted, NMFS will revise 
    this designation to include specific marine areas as part of coho 
    salmon critical habitat.
    
    Factors for the Species' Decline
    
        Comment 9: Many commenters challenged the merits of the original 
    listings and felt that the true cause of the coho declines lay in 
    various spheres aside from freshwater habitat. Among the various causes 
    cited were: tribal fishing, commercial fishing, sport fishing, foreign 
    fishing, marine mammals, other protected predators, non-native species, 
    birds, hatchery practices, dams, ocean conditions, and recent droughts 
    and floods. Others provided evidence that mismanagement and pollution 
    of freshwater habitats have been principal factors in the species' 
    decline. Still others felt that extinction is a natural process and 
    that little can (or should) be done about it.
        Response: NMFS believes that the threatened extinction of these 
    coho populations is the result of human, rather than natural factors, 
    and will continue to encourage all efforts to protect and restore 
    imperiled salmon and their habitat. NMFS acknowledges that a multitude 
    of factors have contributed to the decline of coho salmon and has 
    described these factors in more detail in the listing determinations 
    for each ESU (61 FR 56138, October 31, 1996; 62 FR 24588, May 6, 1997), 
    in technical status reviews for the species (Bryant 1994; Weitkamp et 
    al., 1995; NMFS 1997), and in documents detailing factors for decline 
    for related species (NMFS 1996b and 1998). Many of the causes cited by 
    commenters are human-controlled and NMFS believes that these can and 
    must be addressed in the near-term to improve the salmon's chances for 
    surviving such uncontrollable natural events as droughts, floods, and 
    poor ocean conditions.
    
    ESA Definitions and Standards
    
        Comment 10: Some commenters requested that NMFS clarify the meaning 
    of ``harm'' under the ESA, and several commenters took exception to 
    NMFS' assertion that adverse modification of critical habitat is 
    equivalent to jeopardizing the listed species.
        Response: On May 1, 1998, NMFS published a proposed rule to define 
    the term ``harm'', which is contained in the definition of ``take'' in 
    the ESA (63 FR 24148). Section 9 of the ESA makes it illegal to take an 
    endangered species of fish or wildlife. The definition of ``take'' is 
    to ``harass, harm, pursue, hunt, shoot, wound, kill, trap, capture, or 
    collect, or to attempt to engage in any such conduct.'' (16 U.S.C. 
    1532(19)). FWS has promulgated a regulation further defining the term 
    ``harm'' to eliminate confusion concerning its meaning (50 CFR 17.3). 
    FWS' definition of ``harm'' with respect to habitat destruction has 
    been upheld by the Supreme Court as a reasonable interpretation of the 
    term and supported by the broad purpose of the ESA to conserve 
    endangered and threatened species (See Babbitt v. Sweet Home Chapter of 
    Communities for a Greater Oregon, 115 S. Ct. 2407, 2418 (1995)). With 
    the listings of Pacific salmon and anadromous trout stocks, potentially 
    affected parties have questioned whether NMFS also interprets ``harm'' 
    to include habitat destruction. The May 1, 1998, proposed rule will, if 
    adopted, establish NMFS' interpretation of ``harm'' consistent with 
    that of FWS.
        NMFS' proposed rule interprets the term ``harm'' in the context of 
    habitat destruction as an act that actually kills or injures fish or 
    wildlife. Such an act may include significant habitat modification or 
    degradation where it actually kills or injures fish or wildlife by 
    significantly impairing essential behavioral patterns, including 
    breeding, spawning, rearing, migrating, feeding, and sheltering 
    (Compare 50 CFR 17.3). The habitat modification or degradation 
    contained in the definition of ``harm'' is limited to those actions 
    that actually kill or injure listed fish or wildlife. NMFS believes 
    that this proposed definition is reasonable for the conservation of the 
    habitats of listed species and is in keeping with Congress' intent 
    under the ESA. Public input has been solicited on this proposed 
    definition and a final rule will be published after taking all comments 
    into account.
        With regard to comments on the ``adverse modification'' and 
    ``jeopardy standards'', NMFS did not assert that adverse modification 
    of critical habitat is equivalent to jeopardizing listed species. 
    Section 7 of the ESA requires that Federal agencies refrain from 
    contributing to the destruction or adverse modification of critical 
    habitat. This requirement is in addition to the prohibition against 
    jeopardizing the continued existence of a listed species, and it is the 
    only mandatory legal consequence of a critical habitat designation. 
    Implementing regulations define ``jeopardize the continued existence 
    of'' and ``destruction or adverse modification of'' in similar terms. 
    ``Jeopardize the continued existence of'' means to engage in an action 
    ``that reasonably would be expected * * * to reduce appreciably the 
    likelihood of both the survival and recovery of a listed species.'' 50 
    CFR 402.02. ``Destruction or adverse modification of'' means an 
    ``alteration that appreciably diminishes the value of critical habitat 
    for both the survival and recovery of a listed species.'' 50 CFR 
    402.02. Using these definitions, Federal actions found to cause an 
    adverse modification are nearly always found to also jeopardize the 
    species concerned, and the existence of critical habitat designation 
    does not materially affect the outcome of consultation. Biological 
    opinions which conclude that a Federal agency action is likely to 
    adversely modify critical habitat but is not likely to jeopardize the 
    species for which it is designated are extremely rare historically; 
    none have been issued in recent years. However, a situation in which an 
    adverse modification did not result in jeopardy could arise. Such a 
    situation might involve a Federal action in critical habitat outside of 
    current range of the species, where the action would not reduce the 
    current reproduction, distribution, or numbers of the species, but 
    would appreciably reduce the value of critical habitat for survival and 
    recovery.
    
    Adequacy of Existing Conservation Plans and Efforts
    
        Comment 11: Several commenters stated that existing management 
    plans and conservation initiatives were sufficient to protect coho 
    salmon and its habitat, and, therefore, the proposed critical habitat 
    designation is not warranted. Some commenters admonished NMFS to engage 
    in local salmon conservation programs and warned that designating 
    critical habitat could dampen these efforts.
        Response: The designation of critical habitat relies on evaluating 
    which areas are occupied and essential for the species' conservation 
    (see Definition of
    
    [[Page 24057]]
    
    Critical Habitat). Moreover, NMFS considered existing regulatory 
    mechanisms and conservation plans applicable to Central California 
    Coast and Southern Oregon/Northern California Coasts coho salmon and 
    their habitats in the final listing determinations (61 FR 56138, 
    October 31, 1996; 62 FR 24588, May 6, 1997). In those Federal Register 
    documents, a variety of Federal and state laws and programs were found 
    to have affected the abundance and survival of anadromous fish 
    populations in both ESUs. NMFS concluded that available regulatory 
    mechanisms were inadequate and that regulated activities continued to 
    represent a potential threat to the species' existence.
        NMFS agrees with commenters that state and local watershed efforts 
    are key to the coho salmon's recovery and long-term survival. Species 
    listings and critical habitat designations under the ESA should in no 
    way hamper efforts to help coho salmon and other imperiled species in 
    the Pacific Northwest and California. NMFS encourages such efforts, as 
    evidenced by our involvement with an array of programs in the range of 
    both ESUs, including: helping to fund watershed coordinators through 
    the Oregon Governor's Watershed Enhancement Board, working with 
    numerous Resource Conservation Districts and watershed restoration 
    efforts (including the Mattole River Restoration Council, and the 
    Salmon, South Fork Trinity, Shasta, and Scott River Coordinated 
    Resource Management Plans), participating in the development of 
    California's recovery and strategic management plans for coastal 
    salmonids, working with the California Governor's Biodiversity Councils 
    and assisting with implementation of the Oregon Plan for Salmon and 
    Watersheds (OPSW). NMFS recognizes the significant benefits that will 
    accrue to salmon as a result of these efforts. In fact, NMFS has 
    promulgated interim protection regulations (i.e., ESA 4(d) rule) that 
    provide specific exceptions for the significant harvest, hatchery, 
    habitat restoration, and monitoring efforts contained in the OPSW and 
    other efforts currently underway in the range of the Southern Oregon/
    Northern California Coasts ESU (62 FR 38479). All parties interested in 
    obtaining technical assistance in support of salmon conservation (or 
    other information related to NMFS' ESA activities) are encouraged to 
    contact NMFS field office personnel in Roseburg, Oregon, and in Eureka, 
    Long Beach, and Santa Rosa, California (see FOR FURTHER INFORMATION 
    CONTACT).
    
    Tribal Lands
    
        Comment 12: On June 3, 1998, the Hoopa Valley Tribe (HVT) 
    specifically requested that NMFS not designate critical habitat on 
    their reservation and that NMFS waive ESA section 7 consultation 
    requirements when the tribe has a plan in place which protects fish 
    habitat and meets the requirements of the Secretarial Order entitled 
    ``American Indian Tribal Rights, Federal-Tribal Trust Responsibilities, 
    and the Endangered Species Act'' on June 5, 1997 (Secretarial Order).
        Response: The unique and distinctive relationship between the 
    United States and Indian tribes is defined by treaties, statutes, 
    executive orders, judicial decisions, and agreements, that 
    differentiates tribes from the other entities that deal with, or are 
    affected by, the Federal Government. This relationship has given rise 
    to a special Federal trust responsibility involving the legal 
    responsibilities and obligations of the United States toward Indian 
    tribes and the application of fiduciary standards of due care with 
    respect to Indian lands, tribal trust resources, and the exercise of 
    tribal rights. Pursuant to the treaties, statutes, judicial decisions, 
    executive orders and other agreements that define the relationship 
    between the United States and tribes, lands have been retained by 
    Indian tribes or have been set aside for tribal use. These lands are 
    managed by Indian tribes in accordance with tribal goals and 
    objectives, within the framework of applicable laws.
        As a means of recognizing the responsibilities and relationship 
    between the United States and Indian tribes, the Secretaries of 
    Commerce and Interior issued the Secretarial Order entitled ``American 
    Indian Tribal Rights, Federal-Tribal Trust Responsibilities, and the 
    Endangered Species Act'' on June 5, 1997 (Secretarial Order). The 
    Secretarial Order clarifies the responsibilities of NMFS and FWS when 
    carrying out authorities under the ESA and requires that they consult 
    with, and seek participation of, the affected Indian tribes to the 
    maximum extent practicable. The Secretarial Order further provides that 
    the Services * * * ``shall consult with the affected Indian tribe(s) 
    when considering the designation of critical habitat in an area that 
    may impact tribal trust resources, tribally owned fee lands, or the 
    exercise of tribal rights. Critical habitat shall not be designated in 
    such areas unless it is determined essential to conserve a listed 
    species.''
        Pursuant to the requirements of the Secretarial Order and in 
    response to written and verbal comments provided by the Hoopa Valley 
    Tribe (HVT) and other tribes in California, as well as the Bureau of 
    Indian Affairs (BIA), NMFS engaged several tribes in government-to-
    government consultation concerning the inclusion of tribal lands in the 
    final critical habitat designation for coho salmon. Prior to initiating 
    government-to-government consultation, NMFS reviewed available 
    information from the BIA and concluded that the tribal lands most 
    likely to be affected by a final critical habitat designation for coho 
    salmon were the Yurok Reservation, Hoopa Valley Reservation, Karuk 
    Reservation, and the Round Valley Reservation, all of which are located 
    in the Southern Oregon/Northern California Coasts ESU. The major river 
    basins containing these reservation lands and listed coho salmon 
    populations are the Klamath, Trinity, and Eel River basins. 
    Accordingly, NMFS' government-to-government consultation efforts 
    concerning coho salmon critical habitat were focused on these tribes. 
    In addition to these larger tribal reservations, there are a large 
    number of smaller Indian rancherias located in both the Southern 
    Oregon/Northern California Coasts and Central California Coast ESUs 
    which could potentially be affected, depending on their specific 
    locations.
        As part of the government-to-government consultation process called 
    for in the Secretarial Order, NMFS solicited written comments from the 
    Yurok Tribe, Karuk Tribe of California, HVT, and the Round Valley Tribe 
    regarding the inclusion of tribal lands in the final critical habitat 
    designation, and also met with representatives from each tribe to 
    discuss the issue and their concerns in greater detail. In the course 
    of these discussions, each tribe expressed its opposition to the 
    inclusion of tribal lands in the final critical habitat designation. 
    The Yurok Tribe expressed its support for the recovery of coho salmon 
    and other non-listed species, but felt that its current resource 
    management plans and practices already promoted the conservation and 
    recovery of these species. They were also concerned that designating 
    tribal lands as critical habitat would place an additional burden upon 
    the Tribe, but recognized that impacts to critical habitat would only 
    be considered in the course of section 7 consultations. Similarly, HVT 
    expressed its support for coho salmon recovery, but argued that its 
    existing resource management plans and other efforts already contribute 
    to the recovery of coho salmon and other species on the reservation, 
    and more
    
    [[Page 24058]]
    
    than compensate for the small impact that tribal activities have on the 
    listed species when compared with non-tribal activities in the Trinity 
    River basin (e.g., Federal water project operations, timber harvest, 
    etc). In its view, NMFS should give deference to tribal management 
    efforts in accordance with the Secretarial Order and thereby recognize 
    the contribution that tribal management makes for the recovery of 
    listed coho salmon. In addition, the tribe asserted that including 
    tribal lands in the critical habitat designation would infringe on its 
    sovereignty and was inconsistent with the approach taken by FWS when it 
    excluded HVT lands from the critical habitat designation for the 
    marbled murrelet.
        Based on a consideration of the Federal Government's trust 
    responsibilities to Indian tribes, particularly as addressed in the 
    Secretarial Order, and following government-to-government consultation 
    with affected Indian tribes, NMFS has determined that tribal lands 
    should be excluded from the final critical habitat designation for coho 
    salmon. Although NMFS continues to believe that habitat on tribal lands 
    which is currently accessible to coho salmon is important for the long-
    term survival and recovery of the species, we believe that ESA section 
    7 consultations through BIA and other Federal agencies, in combination 
    with the continued development and implementation of tribal resource 
    management programs that support coho salmon conservation represent an 
    alternative to designating critical habitat that will result in a 
    proportionate and essential contribution to coho salmon conservation 
    that is also consistent with the goals of the Secretarial Order.
        The tribal lands (reservations or rancherias) which are excluded 
    from the final critical habitat designation for coho salmon are 
    identified in Tables 5 (Central California Coast ESU) and 6 (Southern 
    Oregon/Northern California Coasts ESU) by individual USGS hydrologic 
    unit. Excluded tribal lands in the Central California Coast ESU 
    include: the Cloverdale Rancheria, Coyote Valley Rancheria, Dry Creek 
    Rancheria, Guidiville Rancheria, Hopland Rancheria, Lytton Rancheria, 
    Manchester/Point Arena Rancheria, Pinoleville Rancheria, and Stewarts 
    Point Rancheria. Excluded tribal lands in the Southern Oregon/Northern 
    California Coast ESU include: the Big Lagoon Rancheria, Blue Lake 
    Rancheria, Elk Valley Rancheria, Hoopa Valley Reservation, Karuk 
    Reservation, Laytonville Rancheria, Quartz Valley Reservation, 
    Resighini Rancheria, Round Valley Reservation, Sherwood Valley 
    Rancheria, Smith River Rancheria, and Yurok Reservation.
        Consistent with the provisions of the Secretarial Order, NMFS will 
    respect the exercise of tribal sovereignty over the management of 
    Indian lands and tribal trust resources, and give deference to tribal 
    conservation and management plans for tribal trust resources to the 
    extent that they address the conservation needs of coho salmon or other 
    listed species. NMFS is currently engaged in a programmatic ESA section 
    7 consultation with BIA and a government-to-government consultation 
    with HVT regarding its Forest Management Plan (FMP) and its associated 
    standards and guidelines. Through these consultation processes, NMFS is 
    working with HVT and BIA to determine the effects of FMP implementation 
    on coho salmon and its habitat, including adjacent riparian and upslope 
    habitat, as well as to ensure that FMP implementation on tribal lands 
    supports the conservation of coho salmon.
    
    Agencies Affected by Critical Habitat Designation
    
        Comment 13: NPS requested that NMFS include them as an agency 
    affected by the critical habitat designation due to the fact that they 
    manage and fund salmonid restoration projects at Golden Gate National 
    Recreation Area, Muir Woods National Monument, and Redwood National and 
    State Parks. The U.S. Department of Interior requested that the Natural 
    Resource Conservation Service (NRCS) and FEMA be identified as well, 
    because both agencies can conduct or authorize activities that alter 
    coho salmon critical habitat. In addition, they requested that NMFS 
    identify an ``emergency communications network'' which would allow NMFS 
    to provide these agencies with fisheries technical expertise during 
    cleanups associated with floods and other emergencies.
        Response: NMFS has reviewed, and concurs with, the information 
    submitted by both commenters and will add the NPS, NRCS, and FEMA to 
    the list of affected agencies.
        NMFS agrees with the commenters requesting that guidelines be 
    established so that emergency response agencies (e.g., FEMA) can avoid 
    adversely modifying critical habitat during their mitigation actions 
    after a natural disaster. To that end, NMFS is in contact with the NRCS 
    and is giving input on their Programmatic Environmental Impact 
    Statement on Emergency Watershed Protection actions. NMFS hopes that 
    through such input it will be able to help establish a strong set of 
    guidelines for protecting critical habitat when a natural disaster 
    strikes and immediate action must be taken to protect human life and 
    property. Further, it is NMFS' position that with such a set of 
    guidelines in place, there will be no reason for NMFS to become 
    involved in making on-the-ground decisions regarding disaster 
    mitigation actions. The guidelines will protect critical habitat in 
    advance and, in most cases, thereby take the place of the difficult and 
    potentially time-consuming process of emergency consultation. Thus, the 
    guidelines themselves will largely obviate the need for an emergency 
    communications network.
    
    Changes to the Proposed Rule
    
        Based on comments and new information received on the proposed 
    rule, NMFS is modifying the final critical habitat designation for 
    these two ESUs as follows:
        (1) Phoenix, Willow Lake, Fish Lake, Agate Lake, Emigrant Lake, and 
    Selmac Lake Dams have been added to the list of dams/reservoirs 
    representing the upstream extent of critical habitat for these ESUs.
        (2) Matthews Dam is removed from the list of dams/reservoirs 
    representing the upstream extent of critical habitat for the Southern 
    Oregon/Northern California Coasts ESU.
        (3) Nicasio Dam is corrected to ``Seeger Dam.''
        (4) Mill Valley Creek is corrected to ``Arroyo Corte Madera Del 
    Presidio.''
        (5) Adjacent riparian zones have been re-defined and are now based 
    on a functional (rather than quantitative) description.
        (6) NPS, Environmental Protection Agency (EPA), NRCS, FEMA, and BIA 
    have been included as agencies affected by the critical habitat 
    designation.
        (7) Beaver removal, diking, and streambank stabilization have been 
    identified as activities that may require special management 
    consideration.
        (8) Tribal lands in northern California are excluded from the 
    critical habitat designations.
    
    Critical Habitat of California and Southern Oregon Coho Salmon
    
        Biological information for listed coho salmon can be found in NMFS' 
    species status reviews (Bryant, 1994; Weitkamp et al., 1995; NMFS, 
    1997), species life history summaries (Shapavalov and Taft, 1954; 
    Laufle et al., 1986; Hassler, 1987; Anderson, 1995; Sandercock, 1991), 
    and in Federal Register notices of proposed and final listing 
    determinations (59 FR 21744, April 26, 1994; 60 FR 38011, July 25, 
    1995; 61 FR
    
    [[Page 24059]]
    
    56138, October 31, 1996; 62 FR 24588, May 6, 1997).
        The current geographic range of coho salmon from the Oregon and 
    California coasts includes vast areas of the North Pacific ocean, 
    nearshore marine zone, and extensive estuarine and riverine areas. The 
    marine distribution south of Punta Gorda, California, appears to 
    encompass a relatively narrow, nearshore strip approximately 100 km 
    wide (Taft, 1937; Shapovalov and Taft, 1954; Laufle et al., 1986; NOAA, 
    1990; Weitkamp et al., 1995). North of Punta Gorda, the distribution 
    widens to encompass nearly all marine areas north of 41 deg. latitude 
    (Wright, 1968; Godfrey et al., 1975; NOAA, 1990). Major rivers, 
    estuaries, and bays known to support coho salmon within the Southern 
    Oregon/Northern California Coasts ESU include the Rogue River, Smith 
    River, Klamath River, Mad River, Humboldt Bay, Eel River, and Mattole 
    River. Within the range of the Central California Coast ESU, major 
    rivers, estuaries, and bays include the Ten Mile, Noyo, Big, Navarro, 
    Garcia, Gualala, and Russian Rivers, and Tomales and San Francisco Bays 
    (Emmett et al., 1991; Nickelson et al., 1992; Brown and Moyle, 1991; 
    Bryant, 1994; California Department of Fish and Game (CDFG), 1994; 
    Weitkamp et al., 1995). Many smaller coastal rivers and streams in each 
    ESU also provide essential estuarine habitat for coho salmon, but 
    access is often constrained by seasonal fluctuations in hydrologic 
    conditions.
        Any attempt to describe the current distribution of coho salmon 
    must take into account the fact that extant populations and densities 
    are a small fraction of historical levels. All coho salmon stocks in 
    the Central California Coast ESU are extremely depressed relative to 
    past abundance and there are limited data to assess population numbers 
    or trends. The main coho salmon stocks in this region are from the Ten 
    Mile River, Big River, Nolo River, Navarro River, Garcia River, Gualala 
    River, Russian River, Lagunitas Creek, Waddell Creek, and Scott Creek. 
    Several of these stocks are heavily influenced by hatcheries and, 
    apparently, have little natural production in mainstem reaches. 
    Historically, coho salmon abundance within this region was estimated 
    from 50,000 to 125,000 native coho salmon. Presently, coho salmon 
    abundance within this region is estimated to be less than 5,000 
    naturally reproducing fish, and a vast majority of these are considered 
    to be hatchery origin fish (Brown and Moyle, 1991; Bryant, 1994; CDFG, 
    1994).
        All coho salmon stocks between Punta Gorda and Cape Blanco in the 
    Southern Oregon/Northern California Coasts ESU are also depressed 
    relative to past abundance, and there are limited data to assess 
    population numbers or trends currently. The main coho salmon stocks in 
    this region are from the Rogue, Klamath, and Trinity Rivers, and the 
    latter two are heavily influenced by hatcheries and have little natural 
    production in mainstem reaches. Other important stocks within this ESU 
    include the Winchuck, Chetco, Smith, Mad, Elk, Eel, and the Mattole 
    Rivers. Historically, coho salmon abundance within this region was 
    estimated from 150,000 to 400,000 native fish. Presently, abundance is 
    estimated to be less than 30,000 naturally reproducing coho salmon, and 
    a vast majority of these (roughly 20,000) are considered to be hatchery 
    origin fish (Brown and Moyle, 1991, Bryant, 1994; CDFG, 1994; Weitkamp 
    et al., 1995).
        Within the range of both ESUs, the species' life cycle can be 
    separated into five essential habitat types: (1) Juvenile summer and 
    winter rearing areas ; (2) juvenile migration corridors; (3) areas for 
    growth and development to adulthood; (4) adult migration corridors; and 
    (5) spawning areas. Areas 1 and 5 are often located in small headwater 
    streams and side channels, while areas 2 and 4 include these 
    tributaries as well as mainstem reaches and estuarine zones. Growth and 
    development to adulthood (area 3) occurs primarily in near-and off-
    shore marine waters, although final maturation takes place in 
    freshwater tributaries when the adults return to spawn. Within these 
    areas, essential features of coho salmon critical habitat include 
    adequate; (1) substrate, (2) water quality, (3) water quantity, (4) 
    water temperature, (5) water velocity, (6) cover/shelter, (7) food, (8) 
    riparian vegetation, (9) space, and (10) safe passage conditions. Given 
    the vast geographic range occupied by each of these coho salmon ESUs 
    and the diverse habitat types used by the various life stages, it is 
    not practical to describe specific values or conditions for each of 
    these essential habitat features. However, good summaries of these 
    environmental parameters and freshwater factors that have contributed 
    to the decline of this and other salmonids can be found in reviews by 
    CDFG, 1965; California Advisory Committee on Salmon and Steelhead 
    Trout, 1988; Brown and Moyle, 1991; Bjornn and Reiser, 1991; Nehlsen et 
    al., 1991; Higgins et al., 1992; California State Lands Commission, 
    1993; Botkin et al., 1995; NMFS, 1996b; and Spence et al., 1996.
        NMFS believes that the current range of the species encompasses all 
    essential habitat features and is adequate to ensure the species' 
    conservation. Therefore, designation of habitat areas outside the 
    species' current range (i.e., historical habitats above the 17 dams 
    identified in Tables 5 and 6) is not necessary. For reasons described 
    earlier in this document, NMFS has revised its designation of 
    freshwater and estuarine critical habitat to include riparian areas 
    that provide the following functions: shade, sediment, nutrient or 
    chemical regulation, streambank stability, and input of large woody 
    debris or organic matter. It is important to note that habitat quality 
    in this range is intrinsically related to the quality of riparian and 
    upland areas and of inaccessible headwater or intermittent streams 
    which provide key habitat elements (e.g., large woody debris, gravel, 
    water quality) crucial for coho in downstream reaches. Marine habitats 
    (i.e., oceanic or nearshore areas seaward of the mouth of coastal 
    rivers) are also vital to the species, and ocean conditions are 
    believed to have a major influence on coho salmon survival (see review 
    in Pearcy, 1992). Although NMFS has not included the ocean as critical 
    habitat in this final rule, the agency will be re-evaluating this issue 
    and may propose including specific marine zones for each ESU in a 
    separate Federal Register document.
        The regulatory descriptions of critical habitat for each ESU can be 
    found at the end of this Federal Register document.
    
    Need for Special Management Considerations or Protection
    
        To ensure that the essential areas and features are maintained or 
    restored, special management may be needed. Activities that may require 
    special management considerations for freshwater and estuarine life 
    stages of listed coho salmon include, but are not limited to (1) land 
    management; (2) timber harvest; (3) point and non-point water 
    pollution; (4) livestock grazing; (5) habitat restoration; (6) beaver 
    removal; (7) irrigation water withdrawals and returns; (8) mining; (9) 
    road construction; (10) dam operation and maintenance; (11) diking and 
    streambank stabilization; and (12) dredge and fill activities. Not all 
    of these activities are necessarily of current concern within every 
    watershed; however, they indicate the potential types of activities 
    that will require consultation in the future. No special management 
    considerations have been identified for listed coho salmon while
    
    [[Page 24060]]
    
    they are residing in the ocean environment.
    
    Activities That May Affect Critical Habitat
    
        A wide range of activities may affect the essential habitat 
    requirements of listed coho salmon in freshwater and estuarine 
    habitats. More in-depth discussions are contained in the response to 
    comments under ``Scope and Extent of Critical Habitat'' and in Federal 
    Register documents announcing the listing determinations for each ESU 
    (61 FR 56138, October 31, 1996; 62 FR 24588, May 6, 1997). These 
    activities include water and land management actions of Federal 
    agencies (i.e., USFS, U.S. Bureau of Land Management (BLM), U.S. Army 
    Corps of Engineers (COE), U.S. Bureau of Reclamation (BOR), the Federal 
    Highway Administration (FHA), NRCS, NPS, BIA, and the Federal Energy 
    Regulatory Commission (FERC)) and related or similar actions of other 
    federally regulated projects and lands, including livestock grazing 
    allocations by the USFS and BLM; hydropower sites licensed by the FERC; 
    dams built or operated by COE or BOR; timber sales conducted by the 
    USFS and BLM; road building activities authorized by the FHA, USFS, 
    BLM, and NPS; and mining and road building activities authorized by the 
    states of California and Oregon. Other actions of concern include 
    dredge and fill, mining, diking, and bank stabilization activities 
    authorized or conducted by COE, habitat modifications authorized by the 
    FEMA, and approval of water quality standards and pesticide labeling 
    and use restrictions administered by EPA.
        The Federal agencies that will most likely be affected by this 
    critical habitat designation include the USFS, BLM, BOR, COE, FHA, 
    NRCS, NPS, BIA, FEMA, EPA, and FERC. This designation will provide 
    these agencies, private entities, and the public with clear 
    notification of critical habitat designated for listed coho salmon and 
    the boundaries of the habitat and protection provided for that habitat 
    by the ESA section 7 consultation process. This designation will also 
    assist these agencies and others in evaluating the potential effects of 
    their activities on listed coho salmon and their critical habitat and 
    in determining if consultation with NMFS is needed.
    
    Expected Economic Impacts of Designating Critical Habitat
    
        The economic impacts to be considered in a critical habitat 
    designation are the incremental effects of critical habitat designation 
    above the economic impacts attributable to listing or attributable to 
    authorities other than the ESA (see response to comments under Economic 
    Considerations). Incremental impacts result from special management 
    activities in those areas, if any, outside the present distribution of 
    the listed species that NMFS has determined to be essential to the 
    conservation of the species. For these coho salmon ESUs NMFS has 
    determined that the present geographic extent of their freshwater and 
    estuarine range is likely sufficient to provide for conservation of the 
    species, although the quality of that habitat needs improvement on many 
    fronts. Because NMFS is not designating any areas beyond the current 
    range of these coho ESUs as critical habitat, the designation will 
    result in few, if any, additional economic effects beyond those that 
    may have been caused by listing and by other statutes.
    
    Change in Designation of Critical Habitat and Need for Correction
    
        In the proposed rule issued on November 25, 1997, (62 FR 62741), 
    Central California Coast and Southern Oregon/Northern California Coasts 
    coho salmon ESUs were added to part 226, subpart C as Secs. 226.24 and 
    226.25 respectively. Since November 25, NMFS has issued a final rule 
    (64 FR 140525, March 23, 1999) consolidating and reorganizing existing 
    regulations regarding implementation of the ESA. In this final rule, 
    critical habitat designations for the Central California Coast and 
    Southern Oregon/Northern California Coasts ESUs have been added as 
    Sec. 226.210 paragraphs (a) and (b), respectively.
        This document also corrects the date for the USGS citation for 
    Hydrologic units as defined by the Department of the Interior (DOI), 
    U.S. Geological Survey contained in Sec. 226.23. The final rule 
    consolidating and reorganizing existing regulations regarding 
    implementation of the ESA (64 FR 14052, March 23, 1999) also 
    redesignated Sec. 226.23 as Sec. 226.206.
    
    References
    
        The complete citations for the references used in this document can 
    be obtained by contacting Garth Griffin, NMFS (see FOR FURTHER 
    INFORMATION CONTACT).
    
    Classification
    
        NMFS has determined that Environmental Assessments and 
    Environmental Impact Statements, as defined under the authority of the 
    National Environmental Policy Act of 1969, need not be prepared for 
    critical habitat designations made pursuant to the ESA. See Douglas 
    County v. Babbitt, 48 F.3d 1495 (9th Cir. 1995), cert. denied, 116 
    S.Ct. 698 (1996).
        This rule has been determined to be not significant for purposes of 
    Executive Order 12866.
        NMFS is designating only the current range of these coho salmon 
    ESUs as critical habitat. Given the affinity of this species to spawn 
    in small streams, this current range encompasses a wide range of 
    habitat, including small tributary reaches, as well as mainstem, off-
    channel and estuarine areas. Areas excluded from this designation 
    include historically-occupied areas above 17 impassable dams and 
    headwater areas above impassable natural barriers (e.g., long-standing, 
    natural waterfalls). Since NMFS is designating the current range of the 
    listed species as critical habitat, this designation will not impose 
    any additional requirements or economic effects upon small entities, 
    beyond those which may accrue from section 7 of the ESA. Section 7 
    requires Federal agencies to insure that any action they carry out, 
    authorize, or fund is not likely to jeopardize the continued existence 
    of any listed species or result in the destruction or adverse 
    modification of critical habitat (ESA section 7(a)(2)). The 
    consultation requirements of section 7 of the ESA are nondiscretionary 
    and are effective at the time of species' listing. Therefore, Federal 
    agencies must consult with NMFS and ensure their actions do not 
    jeopardize a listed species, regardless of whether critical habitat is 
    designated.
        In the future, should NMFS determine that designation of habitat 
    areas outside the species' current range is necessary for conservation 
    and recovery, NMFS will analyze the incremental costs of that action 
    and assess its potential impacts on small entities, as required by the 
    Regulatory Flexibility Act. Until that time, a more detailed analysis 
    would be premature and would not reflect the true economic impacts of 
    the action on local businesses, organizations, and governments.
        Accordingly, the Chief Counsel for Regulation of the Department of 
    Commerce certified to the Chief Counsel for Advocacy of the Small 
    Business Administration with the proposed rule that, if adopted, this 
    rule would not have a significant economic impact on a substantial 
    number of small entities. NMFS received two comments, addressed above, 
    concerning this certification. These comments did not result in any 
    change regarding the certification. As a result, no final Regulatory 
    Flexibility Act analysis was prepared.
    
    [[Page 24061]]
    
        This rule does not contain a collection-of-information requirement 
    for purposes of the Paperwork Reduction Act.
    
    List of Subjects in 50 CFR Part 226
    
        Endangered and threatened species, Incorporation by reference.
    
        Dated: April 28, 1999.
    Penelope D. Dalton,
    Assistant Administrator for Fisheries, National Marine Fisheries 
    Service.
    
        For the reasons set out in the preamble, 50 CFR part 226 is amended 
    as follows:
    
    PART 226--DESIGNATED CRITICAL HABITAT
    
        1. The authority citation for part 226 continues to read as 
    follows:
    
        Authority: 16 U.S.C. 1533.
    
    Sec. 226.206  [Corrected]
    
        2. In Sec. 226.206(a), in the fourth sentence, remove ``1986'' and 
    add in its place, ``1987''.
        3. Section 226.210 is added to read as follows:
    
    
    Sec. 226.210  Central California Coast Coho Salmon (Oncorhynchus 
    kisutch), Southern Oregon/Northern California Coasts Coho Salmon 
    (Oncorhynchus kisutch).
    
        Critical habitat is designated to include all river reaches 
    accessible to listed coho within the range of the ESUs listed, except 
    for reaches on Indian lands defined in Tables 5 and 6 to this part. 
    Critical habitat consists of the water, substrate, and adjacent 
    riparian zone of estuarine and riverine reaches in hydrologic units and 
    counties identified in Tables 5 and 6 to this part for all of the coho 
    ESUs listed in this section. Accessible reaches are those within the 
    historical range of the ESUs that can still be occupied by any life 
    stage of coho salmon. Inaccessible reaches are those above 
    longstanding, naturally impassable barriers (i.e., natural waterfalls 
    in existence for at least several hundred years) and specific dams 
    within the historical range of each ESU identified in Tables 5 and 6 to 
    this part. Hydrologic units are those defined by the Department of the 
    Interior (DOI), U.S. Geological Survey (USGS) publication, ``Hydrologic 
    Unit Maps,'' Water Supply Paper 2294, 1987, and the following DOI, 
    USGS, 1:500,000 scale hydrologic unit maps: State of Oregon, 1974 and 
    State of California, 1978 which are incorporated by reference. This 
    incorporation by reference was approved by the Director of the Federal 
    Register in accordance with 5 U.S.C. 552(a) and 1 CFR part 51. Copies 
    of the USGS publication and maps may be obtained from the USGS, Map 
    Sales, Box 25286, Denver, CO 80225. Copies may be inspected at NMFS, 
    Protected Resources Division, 525 NE Oregon Street--Suite 500, 
    Portland, OR 97232-2737, or NMFS, Office of Protected Resources, 1315 
    East-West Highway, Silver Spring, MD 20910, or at the Office of the 
    Federal Register, 800 North Capitol Street, NW., Suite 700, Washington, 
    DC.
        (a) Central California Coast Coho Salmon (Oncorhynchus kisutch). 
    Critical habitat is designated to include all river reaches accessible 
    to listed coho salmon from Punta Gorda in northern California south to 
    the San Lorenzo River in central California, including Arroyo Corte 
    Madera Del Presidio and Corte Madera Creek, tributaries to San 
    Francisco Bay. Critical habitat consists of the water, substrate, and 
    adjacent riparian zone of estuarine and riverine reaches (including 
    off-channel habitats) in hydrologic units and counties identified in 
    Table 5 of this part. Accessible reaches are those within the 
    historical range of the ESU that can still be occupied by any life 
    stage of coho salmon. Inaccessible reaches are those above specific 
    dams identified in Table 5 of this part or above longstanding, 
    naturally impassable barriers (i.e., natural waterfalls in existence 
    for at least several hundred years).
        (b) Southern Oregon/Northern California Coasts Coho Salmon 
    (Oncorhynchus kisutch). Critical habitat is designated to include all 
    river reaches accessible to listed coho salmon between Cape Blanco, 
    Oregon, and Punta Gorda, California. Critical habitat consists of the 
    water, substrate, and adjacent riparian zone of estuarine and riverine 
    reaches (including off-channel habitats) in hydrologic units and 
    counties identified in Table 6 of this part. Accessible reaches are 
    those within the historical range of the ESU that can still be occupied 
    by any life stage of coho salmon. Inaccessible reaches are those above 
    specific dams identified in Table 6 of this part or above longstanding, 
    naturally impassable barriers (i.e., natural waterfalls in existence 
    for at least several hundred years).
        3. Tables 5 and 6 are added to part 226 to read as follows: Table 5 
    to Part 226--Hydrologic Units and Counties Containing Critical Habitat 
    for Central California Coast Coho Salmon, Tribal Lands within the Range 
    of the ESU, and Dams/Reservoirs Representing the Upstream Extent of 
    Critical Habitat
    
    ----------------------------------------------------------------------------------------------------------------
                                                          Counties and tribal lands
            Hydrologic  unit name           Hydrologic   contained in hydrologic unit        Dams (reservoirs)
                                             unit No.    and within the range of ESU1
    ------------------------------------------------------------------2---------------------------------------------
    San Lorenzo-Soquel...................     18060001  Santa Cruz (CA), San Mateo     Newell Dam (Loch Lomond).
                                                         (CA).
    San Francisco Coastal South..........     18050006  San Mateo (CA)...............
    San Pablo Bay........................     18050002  Marin (CA), Napa (CA)........  Phoenix Dam (Phoenix Lake).
    Tomales-Drake Bays...................     18050005  Marin (CA), Sonoma (CA)......  Peters Dam (Kent Lake);
                                                                                        Seeger Dam (Nicasio
                                                                                        Reservoir).
    Bodega Bay...........................     18010111  Marin (CA), Sonoma (CA)......
    Russian..............................     18010110  Sonoma (CA), Mendocino (CA)--  Warm Springs Dam (Lake
                                                         Cloverdale Rancheria; Coyote   Sonoma); Coyote Dam (Lake
                                                         Valley Rancheria; Dry Creek    Mendocino).
                                                         Rancheria; Guidiville
                                                         Rancheria; Hopland
                                                         Rancheria; Lytton Rancheria;
                                                         Pinoleville Rancheria;
                                                         Stewarts Point Rancheria.
    Gualala-Salmon.......................     18010109  Sonoma (CA), Mendocino (CA)..
    Big-Navarro-Garcia...................     18010108  Mendocino (CA)-- Manchester/
                                                         Point Arena Rancheria;.
    ----------------------------------------------------------------------------------------------------------------
    1 Some counties have very limited overlap with estuarine, riverine, or riparian habitats identified as critical
      habitat for this ESU. Consult USGS hydrologic unit maps (available from USGS) to determine specific county and
      basin boundaries.
    2 Tribal lands are specifically excluded from critical habitat for this ESU.
    
        Table 6 to Part 226--Hydrologic Units and Counties Containing 
    Critical Habitat for Southern Oregon/Northern California Coasts Coho 
    Salmon, Tribal Lands within the Range of the ESU, and Dams/Reservoirs 
    Representing the Upstream Extent of Critical Habitat.
    
    [[Page 24062]]
    
    
    
    ----------------------------------------------------------------------------------------------------------------
                                                          Counties and tribal lands
             Hydrologic unit name           Hydrologic   contained in hydrologic unit        Dams (reservoirs)
                                             unit No.    and within the range of ESU1
    ------------------------------------------------------------------2---------------------------------------------
    Mattole..............................     18010107  Humboldt (CA), Mendocino (CA)
    South Fork Eel.......................     18010106  Mendocino (CA), Humboldt
                                                         (CA)--Laytonville Rancheria;
                                                         Sherwood Valley Rancheria.
    Lower Eel............................     18010105  Mendocino (CA), Humboldt
                                                         (CA), Trinity (CA).
    Middle Fork Eel......................     18010104  Mendocino (CA), Trinity (CA),
                                                         Glenn (CA), Lake (CA)--Round
                                                         Valley Reservation.
    Upper Eel............................     18010103  Mendocino (CA), Glenn (CA),    Scott Dam (Lake Pillsbury).
                                                         Lake (CA).
    Mad-Redwood..........................     18010102  Humboldt (CA), Trinity (CA)--
                                                         Big Lagoon Rancheria; Blue
                                                         Lake Rancheria.
    Smith................................     18010101  Del Norte (CA), Curry (OR)--
                                                         Elk Valley Rancheria; Smith
                                                         River Rancheria.
    South Fork Trinity...................     18010212  Humboldt (CA), Trinity (CA)..
    Trinity..............................     18010211  Humboldt (CA), Trinity (CA)--  Lewiston Dam (Lewiston
                                                         Hoopa Valley Reservation.      Reservoir).
    Salmon...............................     18010210  Siskiyou (CA)................
    Lower Klamath........................     18010209  Del Norte (CA), Humboldt
                                                         (CA), Siskiyou (CA)--Karuk
                                                         Reservation; Resighini
                                                         Rancheria; Yurok Reservation.
    Scott................................     18010208  Siskiyou (CA)--Quartz Valley
                                                         Reservation.
    Shasta...............................     18010207  Siskiyou (CA)................  Dwinnell Dam (Dwinnell
                                                                                        Reservoir).
    Upper Klamath........................     18010206  Siskiyou (CA), Jackson (OR)..  Irongate Dam (Irongate
                                                                                        Reservoir).
    Chetco...............................     17100312  Curry (OR), Del Norte (CA)...
    Illinois.............................     17100311  Curry (OR), Josephine (OR),    Selmac Lake Dam (Lake
                                                         Del Norte (CA).                Selmac).
    Lower Rogue..........................     17100310  Curry (OR), Josephine (OR),
                                                         Jackson (OR).
    Applegate............................     17100309  Josephine (OR), Jackson (OR),  Applegate Dam (Applegate
                                                         Siskiyou (CA).                 Reservoir).
    Middle Rogue.........................     17100308  Josephine (OR), Jackson (OR).  Emigrant Lake Dam (Emigrant
                                                                                        Lake).
    Upper Rogue..........................     17100307  Jackson (OR), Klamath (OR),    Agate Lake Dam (Agate Lake);
                                                         Douglas (OR).                  Fish Lake Dam (Fish Lake);
                                                                                        Willow Lake Dam (Willow
                                                                                        Lake); Lost Creek Dam (Lost
                                                                                        Creek Reservoir).
    Sixes................................     17100306  Curry (OR)...................
    ----------------------------------------------------------------------------------------------------------------
    1 Some counties have very limited overlap with estuarine, riverine, or riparian habitats identified as critical
      habitat for this ESU. Consult USGS hydrologic unit maps (available from USGS) to determine specific county and
      basin boundaries.
    2 Tribal lands are specifically excluded from critical habitat for this ESU.
    
    [FR Doc. 99-11187 Filed 5-4-99; 8:45 am]
    BILLING CODE 3510-22-P
    
    
    

Document Information

Effective Date:
6/4/1999
Published:
05/05/1999
Department:
National Oceanic and Atmospheric Administration
Entry Type:
Rule
Action:
Final rule and correction.
Document Number:
99-11187
Dates:
This rule is effective June 4, 1999. The incorporation by reference of certain publications listed in the rule is approved by the Director of the Federal Register as of June 4, 1999.
Pages:
24049-24062 (14 pages)
Docket Numbers:
Docket No. 971029257-9101-02, I.D. 101097A
RINs:
0648-AG56: Designated Critical Habitat; Central California Coast and Southern Oregon/Northern California Coast Coho Salmon
RIN Links:
https://www.federalregister.gov/regulations/0648-AG56/designated-critical-habitat-central-california-coast-and-southern-oregon-northern-california-coast-c
PDF File:
99-11187.pdf
CFR: (2)
50 CFR 226.206
50 CFR 226.210