Public Comments Processing
Attn: FWS-R4-ES-2008-0058
Division of Policy and Directives Management
U.S. and Fish and Wildlife Service
4401 N. Fairfax Drive, Suite 222
Arlington, Virginia 22203
Dear Sir/Madam:
This is in response to the notice published in the Federal Register, Volume 73,
Number 102, dated May 17, 2008 (FR), proposing to designate approximately 326
miles of the Alabama and Cahaba Rivers in Alabama as Critical Habitat (CH) for
the Alabama sturgeon (Scaphirhynchus suttkusi). The notice by the U.S. Fish
and Wildlife Service (Service) also requested comments on the proposed CH
designation. In our review of the proposed CH we identified the following points
that we believe should be clarified or revised prior to a final decision on the
designation.
1. Page 30363, column 1, paragraph 1, the notice states “We can designate
critical habitat in areas outside the geographical area occupied by the species at
the time it is listed only when we determine that those areas are essential for the
conservation of the species.” In general, we do not believe that the Service has
demonstrated that this requirement has been met. As noted in other sections of
this letter, areas of the proposed CH either could not be currently occupied by the
Alabama sturgeon either by physical barriers to its migration, or by the present
absence of Primary Constituent Elements (PCEs). On the other hand, if those
areas were occupied by the species, then we would question the scientific validity
of the PCEs. An example of such an area would be impounded waters, whereas
PCE states that free-flowing water is required as a PCE. Therefore, given the
absence of the species in large areas of the proposed CH we recommend
additional clarification be provided that clearly states how such areas
are “essential for the conservation of the species”.
2. Page 30363, column 2, paragraph 1, the notice states “We are not currently
proposing any areas outside the geographical area presently occupied by the
species …”. We believe the statement to be inaccurate since there is no
evidence of any Alabama sturgeon presently occupying the impounded areas
above Claiborne, Millers Ferry, and R.F. Henry, areas that are included in the
proposed CH.
3. Page 30363, column 2, paragraph 2, the notice indicates that the physical and
biological requirements of the Alabama sturgeon are little known and that the
listing of CH considers such requirements of the closest related species, the
pallid sturgeon (S. albus) and the shovelnose sturgeon (S. platorynchus). The
notice goes on to say that for the latter species little specific information is
available regarding physical and biological requirements, but that by synthesizing
the best scientific available data on all three species habitat requirements for the
Alabama sturgeon were identified. Mobile District believes that such an approach
is flawed. Although habitat requirements may share some similarities among the
three species, there probably exist large data gaps that could result in a great
deal of variation in habitat requirements and therefore inaccurate description of
PCEs. We believe the point to be a critical one since a basic understanding of
the species’ biological and physical requirements is the foundation for the
remainder of the proposed listing of CH.
4. Page 30365, column 1, paragraph 3, and column 3, PCE Number 1, a
minimum flow 4,640 cubic feet per second (cfs) in the Alabama River at
Montgomery is indicated as being needed to maintain all life stages of the
species. Although we agree with the logic that the 4,640 cfs flow, which
approximates the 7Q10 value, is generally protective of water quality, and
therefore most aquatic organisms including the Alabama sturgeon, we do not
agree that there is adequate evidence demonstrating that flow can be specifically
incorporated into a PCE. In addition, PCE Number 1 states that 4,640 cfs
during “normal” hydrologic conditions. We believe that if such wording remains in
the listing, the word “normal” should be rigorously defined. For example “normal”
could refer to average rainfall over a specified geographic area, average inflows into
upstream reservoirs, or average reservoir elevations. Without further clarification,
there is large potential for confusion and mis-application of the PCE requirement.
5. Page 30365, column 3, PCE Number 2, states that river channel with stable
sand and gravel river bottoms, and bedrock walls, including associated mussel
beds are needed for the species. The word “stable” should be defined using some
measurable parameter. Also, if mussel beds are not “associated” with such
features are they not included, or are all mussel beds by definition included and
therefore define sandbars and gravel bottoms as stable?
6. Page 30365, column 3, PCE Number 4, states that long sections of free-
flowing water to allow spawning migrations and development of eggs and larvae
are needed by the species. We do not understand how this PCE can apply in
impounded areas of the Alabama River. These areas include Corps reservoirs
above Claiborne, Millers Ferry, and R.F. Henry Locks and Dams. This is
acknowledged in the notice on page 30366, column 3, paragraph 3, where it
states, “It is unlikely that Alabama sturgeon habitat and life cycle requirements
can be met in long stretches of low flow, such as those that exist in the
impounded areas of the river…” We believe the PCE should be rewritten or deleted.
7. Pages 30368-30369, “Effects of Critical Habitat Designation”, describes when
Section 7 Formal Consultation would be required of Federal agency and what
constitutes adverse modifications of CH. Because of lack of clarity regarding
several issues related to the habitat requirements as described in points 1-6
above, it is not clear how or when Section 7 consultation would be required. For
example, if it is determined that “normal” hydrologic conditions exist and yet flows
at Montgomery are less that 4,640 cfs, would Section 7 consultation be required
to avoid draining Corps reservoirs? Would Corps-maintained channels require
consultation for each reach? Would routinely dredged reaches become “stable” if
not dredged during a specified period of time? Wording at Page 30369, column 3,
paragraph 1, seems to indicate that any flow less than 4,640 cfs at Montgomery,
whether or not under “normal” hydrologic conditions would potentially require
consultation: by whom?
8. Page 30370, column 1, paragraph 5, states, “The Secretary may exclude an
area from critical habitat if he determines that the benefits of such exclusion
outweigh the benefits of such specifying such area as part of the critical habitat,
unless he determines, based on the best scientific data available, that the failure
to designate such area as critical habitat will result in the extinction of the
species”. Mobile District believes that based on that statement, areas exist that
should be excluded from CH designation. Those areas include the existing
Federally-maintained channels, marinas, boat ramps, public swimming areas and
docking facilities within the specified reach, existing within-bank dredged material
disposal areas, and Federal reservoirs, locks and dams. We believe that because
of the importance of navigation and recreation on the Alabama River and
hydropower generation by Federal power plants that the benefits of exclusion
outweigh the benefits of including such areas. Precedent exists for such
exclusion in the listing of CH for the Gulf sturgeon (Acipenser oxyrinchus desotoi)
in the Federal Register, Volume 68, Number 53, March 19, 2003, page 13455 for
similar features and in other parts of the rule for several specific habitat units for
major shipping channels. We recommend that similar exclusions be included in
the current listing.
9. Mobile District believes potentially significant economic impacts could result
from listing CH for the species. Therefore, we request the opportunity to review
and provide further comments on the draft economic analysis being prepared by
the Service.
We appreciate the opportunity to comment on the proposed CH designation.
We recognize the importance of the Endangered Species Act and look forward to
cooperating with your agency in balancing those requirements with economic,
environmental and engineering issues.
Should you have any questions regarding our comments please contact Mr.
Chuck Sumner of my staff at (251) 694-3857.
Comment on FR Doc # N/A
This is comment on Proposed Rule
Endangered and Threatened Wildlife and Plants; Designation of Critical Habitat for Alabama Sturgeon (Scaphirhynchus suttkusi)
View Comment
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