By Regular Mail and Electronic Submission
Jan. 16, 2009
Michael Payne, Chief
Permits, Conservation and Education Division
Office of Protected Resources
National Marine Fisheries Service
1315 East-West Highway
Silver Spring, MD 20910-3225
Dear Mr. Payne,
On behalf of the International Fund for Animal Welfare (“IFAW”), I am writing to
submit comments on the National Marine Fisheries Service (“NFMFS”) proposal to
authorize the take of six species of cetaceans incidental to the proposed training
activities of the Jacksonville Range Complex (“JAX Range”) over the next five
years. See 73 Fed. Reg. 76578 (Dec. 17, 2008). IFAW, with over 1 million
supporters worldwide, is one of the world’s preeminent international animal welfare
organizations. IFAW works throughout the world to improve the welfare of wild
and domestic animals by protecting wildlife habitats, reducing commercial
exploitation and helping animals in distress.
IFAW has taken a lead on protecting the fewer than 350 remaining North Atlantic
right whales. IFAW initiated the voluntary ship reporting program that evolved into
the Mandatory Ship Reporting System, designed to protect right whales that
migrate along the East coast of the United States from ship strikes. Working in
partnership with the Commonwealth of Massachusetts and the lobster industry,
IFAW designed and implemented an innovative lobster gear replacement project to
prevent right whale entanglements. Through this program, over 2,100 miles of
dangerous floating groundline was replaced with whale safer sinking line. IFAW,
in partnership with other organizations, has also successfully pursued litigation
against the Navy to prepare federally mandated environmental impact
assessments of the proposed use of active sonar.
IFAW is particularly concerned with the possibility of Navy ships striking right
whales in the JAX Range. NMFS mistakenly concludes that take permits are
unnecessary despite the fact that the proposed exercise area overlaps right whale
critical habitat. Although the mitigation measures described in this proposed rule
represents a strong effort by the U.S. Navy and NMFS to mitigate potential harm
to critically endangered North Atlantic right whales, they do not accomplish that
goal. Instead, NMFS should withdraw this proposed rule and propose the
explosive training in an area far from right whale critical habitat.
Strengthen Mitigation Measures to Prevent Ship Strikes of Right Whales
The North Atlantic right whale is recognized as one of the world’s most
endangered marine mammal species. Recent estimates put the North Atlantic
population of right whales at less than 350, and perhaps closer to 315. Federally
designated critical habitat has been established for right whales off the coast of
Florida and Georgia near their preferred calving range, and in their feeding ground
off the coast of Cape Cod, Massachusetts. The critical habitat off the coast of
Florida overlaps with the JAX/CHASN OPAREA. Recently, NOAA has reported
the possible existence of a second North Atlantic right whale calving ground off
the coast of Maine. Still, an increase in annual right whale mortality rate
suggests the population along the Atlantic coast is declining. Given the small
size of the population and the threat to individual whales from anthropogenic
sources, especially ship strike and entanglement in fishing gear, this endangered
species has an incredibly high risk of extinction.
While the proposed rule acknowledges the precarious status of the North Atlantic
right whale species, NMFS’s conclusion that the proposed mitigation measures
will protect right whales fails to cite or enumerate details that would provide
independent reviewers the ability to adequately question those conclusions. For
example, where the Navy is responsible for lethal whale strikes, including that of a
female right whale and her near-term calf in the mid-Atlantic in 2004, the
conclusion by NMFS that there will be no take of these critically endangered
whales requires further consideration. Further, the proposed rule requires the
Navy to “practice increased vigilance” when passing through seasonal right whale
habitat. Requiring Navy to practice increased vigilance is an abdication of NMFS’
duties’ to independently analyze potential takes of North Atlantic right whale.
Further, if NMFS is to allow Navy to mitigate harm through “increased vigilance,”
that term should be defined in the proposed rule.
NMFS also approves a number of other, more specific, mitigation measures
applicable to the Navy during right whale calving season in the “Consultation
Area” – a zone overlapping established right whale critical habitat. Unfortunately,
all of the measures are qualified by the Navy and will only be followed
if “consistent with essential mission, training, and operations.” These measures
do not adequately address the potential harm to breeding right whales or
mother/calf pairs.
NOAA fisheries has previously concluded that the “loss of even a single individual
right whale may contribute to the extinction of the species,” and that “preventing
the mortality of one adult female alters the projected outcome.” A female must
produce at least four calves to replace herself and mothers and calves are most
vulnerable to impacts from collisions and noise from ships, helicopters, bombs
and missiles. Nowacek et al. (2004) found that whales exposed to alert
stimuli “abandoned their current foraging dive prematurely, … executed a shallow-
angled, high power … ascent, remained at or near the surface” for an “abnormally
long” period of time, and “spent significantly more time at subsurface depths (1-
10m) compared with normal surfacing periods when whales normally stay within 1
m of the surface.” This study concluded that alarm stimuli were a poor option in
attempts to mitigate vessel collisions because of the whale’s reaction actually
makes ship strikes more likely. Therefore, where female right whales and their
calves are particularly susceptible to ship strikes at the JAX Range Complex,
mitigation measures that only apply when consistent with operations are
insufficient to protect the species from extinction. Instead, NMFS and Navy
should pursue training exercises in an alternative location, away from right whale
critical habitat.
Other Impacts on Marine Mammals
Where marine mammals often congregate in areas of dense prey species, the
Navy and NMFS’s distribution assumptions may be flawed in that they are likely
to overestimate the number of marine mammals in some areas while
underestimating the number in others. Further, even taking for granted Navy and
NMFS’s distribution information, NMFS ignores the Navy’s request for take
permits for 2 Atlantic spotted dolphins, instead deciding that take will be less than
estimated due to mitigation and monitoring measures. IFAW believes that
NMFS’s conclusion is incorrect where Atlantic spotted dolphins are likely to suffer
physical injury resulting from exposure to noise in excess of 205dB. These
dolphins’ small size and ability to move quickly will make them difficult to detect
by Navy’s lookouts or other detection systems. Therefore, NMFS decision not to
grant take permits was arbitrary and capricious.
Finally, the U.S. Navy and NMFS fail to address the impact of stress on marine
mammals. Stress has been shown to cause physical harm, including weakening
of the immune system, in marine mammals. It is safe to assume that marine
mammals in the JAX Range Complex would be subjected to stress resulting from
single or multiple explosive concussions. Yet, despite this potential, NMFS
assumes that stress would have a negligible impact on marine mammals in the
JAX Range.
Conclusion
Although IFAW is concerned about the utilization of explosives in the JAX Range
complex, especially in or near right whale critical habitat, we are pleased that the
U.S. Navy and NMFS are taking a proactive role in establishing mitigation
measures to help protect this imperiled species. Still, it is IFAW’s belief that the
mitigation measures discussed in the proposed rule are insufficient to protect
critically endangered right whales and other species. Therefore, IFAW urges
NMFS and the U.S. Navy to choose an alternative location for training exercises
that employ explosives.
Sincerely,
/s/ Jeffrey Flocken
Jeffrey Flocken, Office Director
International Fund for Animal Welfare
1350 Connecticut Ave., NW Suite 1220
Washington D.C., 20036
Attachments:
Comment from Jeffrey Flocken, International Fund for Animal Welfare
Title: Comment from Jeffrey Flocken, International Fund for Animal Welfare
Comment from Jeffrey Flocken, International Fund for Animal Welfare
This is comment on Proposed Rule
Taking and Importing Marine Mammals; U.S. Navy Training in the Jacksonville Range Complex
View Comment
Attachments:
Comment from Jeffrey Flocken, International Fund for Animal Welfare
Title:
Comment from Jeffrey Flocken, International Fund for Animal Welfare
Related Comments
Public Submission Posted: 01/22/2009 ID: NOAA-NMFS-2008-0331-0002
Jan 16,2009 11:59 PM ET
Public Submission Posted: 01/22/2009 ID: NOAA-NMFS-2008-0331-0003
Jan 16,2009 11:59 PM ET
Public Submission Posted: 01/22/2009 ID: NOAA-NMFS-2008-0331-0004
Jan 16,2009 11:59 PM ET