Thank you for the opportunity to comment on the proposed delisting of Cirsium
vinaceum in southeast New Mexico. I am a professional Botanist, who was
directly involved with this species from 1989-1998 on the Lincoln National Forest. I
have read the delisting proposal published in the FR and am writing to discourage
the FWS from approving this action.
The USFS plant counts and inventories for the species are relevant only on a site
by site basis over time. The LNF had different counting methods over the years;
however, all who review site-specific data and correlate this with precipitation can
see the real trends. In my observation, the single most important factor affecting
the relative abundance, distribution, and ultimately the existence of this species is
water quantity.
The reason for Cirsium vinaceum’s vulnerability lies in its local endemism or the
extremely small range it occupies. It occurs in a single mountain range within a
range less than 20 miles long and 10 miles wide. This makes it vulnerable to a
number of serious threats. When a species range is significantly limited, numbers
have little biological meaning relative to ensuring its continued existence.
Claims of Cirsium vinaceum’s recovery based on exclosures and new instream
flow legislation seem insignificant to me. The exclosures and all of the good
stewardship in the world will not prevent this species from becoming extinct from
global climate change, low genetic diversity, water diversions, and/or exotic
insects such as the rhinocyllus beetle.
It is my understanding that the LNF went to court over a case of water rights being
exercised at a spring on the forest with Cirsium vinaceum. My memory is the
courts said the USFS was not legally permitted to dictate a point of diversion to
protect plants because this was unsanitary and beyond their jurisdiction. I am
unclear as to how this new instream flow law in New Mexico would protect against
this happening again.
Given the very limited range of Cirsium vinaceum and the historic bottlenecks it
has been through, there should be a special regard to genetic diversity for true
conservation. I question whether the existing exclosures represent an array of the
true diversity in the population.
Without the acquisition of water rights or any other Recovery Plan goals, it seems
inappropriate to consider delisting Cirsium vinaceum at this time. The recent
droughts in the Sacramento Mountains have significantly dried drinking wells as
well as springs. This in combination with global warming and drying trends, leaves
Cirsium vinaceum very much capable of becoming extinct in the foreseeable future.
Lastly, I have always had concern that there is no contingency plan for when the
musk thistle beetle arrives. As a narrow endemic, Cirsium vinaceum could readily
succumb to such a parasite. I would not be surprised if it was already in the area
or that it could be used as an agent to sabotage conservation efforts.
Comment on FR Doc # E8-26275
This is comment on Proposed Rule
Endangered and Threatened Wildlife and Plants; 90-Day Finding on a Petition To Delist Cirsium vinaceum (Sacramento Mountains Thistle)
View Comment
Attachments:
Comment on FR Doc # E8-26275
Title:
Comment on FR Doc # E8-26275
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