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RIN ID: RIN 1018-AI76
SUBJECT CATEGORY: Endangered and Threatened Wildlife and Plants; Designation of Critical Habitat for Five Endangered Mussels in the Tennessee and Cumberland River Basins
DOCUMENT SUMMARY: We, the U.S. Fish and Wildlife Service (Service), designate 13 river and stream segments (units) in the Tennessee and/or Cumberland River Basins, encompassing a total of approximately 885 river kilometers (rkm) (550 river miles (rmi)) of river and stream channels, as critical habitat for five endangered mussels [Cumberland elktoe (Alasmidonta atropurpurea), oyster mussel (Epioblasma capsaeformis), Cumberlandian combshell (Epioblasma brevidens), purple bean (Villosa perpurpurea), and rough rabbitsfoot (Quadrula cylindrica strigillata)] under the Endangered Species Act of 1973, as amended (Act). We solicited data and comments from the public on all aspects of this designation, including data on economic and other impacts of the designation. This publication also provides notice of the availability of the final economic analysis for this designation.
SUMMARY: Interior Department, Fish and Wildlife Service,
In 30 years of implementing the Act, the Service has found that the
designation of statutory critical habitat provides little additional
protection to most listed species, while consuming significant amounts
of available conservation resources. The Service's present system for
designating critical habitat has evolved since its original statutory
prescription into a process that provides little real conservation
benefit, is driven by litigation and the courts rather than biology,
limits our ability to fully evaluate the science involved, consumes
enormous agency resources, and imposes huge social and economic costs.
The Service believes that additional agency discretion would allow our
focus to return to those actions that provide the greatest benefit to the species most in need of protection.
Role of Critical Habitat in Actual Practice of Administering and Implementing the Act
While attention to and protection of habitat is paramount to successful conservation actions, we have consistently found that, in most circumstances, the designation of critical habitat is of little additional value for most listed species, yet it consumes large amounts of conservation resources. Sidle (1987) stated, ``Because the Act can protect species with and without critical habitat designation, critical habitat designation may be redundant to the other consultation requirements of section 7.'' Currently, only 446, or 36 percent, of the 1,252 listed species in the U.S. under the jurisdiction of the Service have designated critical habitat. We address the habitat needs of all 1,252 listed species through conservation mechanisms such as listing, section 7 consultations, the section 4 recovery planning process, the section 9 protective prohibitions of unauthorized take, section 6 funding to the States, and the section 10 incidental take permit process. The Service believes it is these measures that may make the difference between extinction and survival for many species.
We note, however, that a recent 9th Circuit judicial opinion,
Gifford Pinchot Task Force v. United State Fish and Wildlife Service,
has invalidated the Service's regulation defining destruction or
adverse modification of critical habitat. We are currently reviewing
the decision to determine what effect it may have on the outcome of consultations pursuant to Section 7 of the Act.
Procedural and Resource Difficulties in Designating Critical Habitat
We have been inundated with lawsuits for our failure to designate critical habitat, and we face a growing number of lawsuits challenging critical habitat determinations once they are made. These lawsuits have subjected the Service to an everincreasing series of court orders and courtapproved settlement agreements, compliance with which now consumes nearly the entire listing program budget. This leaves the Service with little ability to prioritize its activities to direct scarce listing resources to the listing program actions with the most biologically urgent species conservation needs.
The consequence of the critical habitat litigation activity is that limited listing funds are used to defend active lawsuits, to respond to Notices of Intent to sue relative to critical habitat, and to comply with the growing number of adverse court orders. As a result, listing petition responses, the Service's own proposals to list critically imperiled species, and final listing determinations on existing proposals are all significantly delayed.
The accelerated schedules of court ordered designations have left the Service with almost no ability to provide for adequate public participation or to ensure a defectfree rulemaking process before making decisions on listing and critical habitat proposals due to the risks associated with noncompliance with judiciallyimposed deadlines. This in turn fosters a second round of litigation in which those who fear adverse impacts from critical habitat designations challenge those designations. The cycle of litigation appears endless, is very expensive, and in the final analysis provides relatively little additional protection to listed species.
The costs resulting from the designation include legal costs, the
cost of preparation and publication of the designation, the analysis of
the economic effects and the cost of requesting and responding to public
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comment, and in some cases the cost of compliance with the National
Environmental Policy Act. None of these costs result in any benefit to
the species that is not already afforded by the protections of the Act
enumerated earlier, and they directly reduce the funds available for direct and tangible conservation actions.
This final rule addresses five mussels in the family Unionidae that are historically native to portions of the ``Cumberlandian'' Region of the Tennessee and Cumberland River Basins, including the Cumberland elktoe (Alasmidonta atropurpurea), oyster mussel (Epioblasma capsaeformis), Cumberlandian combshell (Epioblasma brevidens), purple bean (Villosa perpurpurea), and rough rabbitsfoot (Quadrula cylindrica strigillata). It is our intent, in this final rule, to discuss information obtained since the proposed critical habitat designation. Please refer to our proposed critical habitat rule (68 FR 33234, June 3, 2003) for a more detailed discussion of the species' general life history and our current understanding of their historical and current range and distribution.
We present information below on taxonomy, life history, and
distribution specific to these 5 Cumberlandian mussels. The following
section incorporates information received during the public comment
period, thereby updating and/or revising this section from the
information presented in the proposed rule. Additional information can
be found in the listing determination (62 FR 1647) and the final recovery plan for these five mussels (Service 2004).
Taxonomy, Life History, and Distribution
Cumberland Elktoe (Alasmidonta atropurpurea (Rafinesque 1831))
Gravid Cumberland elktoe females (females with larvae) have been observed between October and May, but fish infected with glochidia of the Cumberland elktoe have not been encountered until March (Gordon and Layzer 1993). While glochidial infestation from this species has been recorded on five native fish species, glochidia successfully transformed or developed only on the northern hogsucker (Hypentelium nigricans) under laboratory conditions (Gordon and Layzer 1993). This species appears to prefer habitats in mediumsized streams to large rivers that contain sand and mud substrata interspersed with cobbles and large boulders (Call and Parmalee 1981; Parmalee and Bogan 1998).
The Cumberland elktoe is endemic to the upper Cumberland River System in southeast Kentucky and northcentral Tennessee. It appears to have historically occurred only in the main stem of the Cumberland River and primarily its southern tributaries upstream from the hypothesized original location of Cumberland Falls near Burnside, Pulaski County, Kentucky (Cicerello and Laudermilk 2001). This species has apparently been extirpated from the main stem of the Cumberland River as well as Laurel River and its tributary, Lynn Camp Creek (Service 2004). Based on recent records, the Cumberland elktoe continues to persist in 12 Cumberland River tributaries: Laurel Fork, Claiborne County, Tennessee, and Whitley County, Kentucky; Marsh Creek, McCreary County, Kentucky; Sinking Creek, Laurel County, Kentucky; Big South Fork, Scott County, Tennessee, and McCreary County, Kentucky; Rock Creek, McCreary County, Kentucky; North Fork White Oak Creek, Morgan and Fentress Counties, Tennessee; Clear Fork, Fentress, Morgan, and Scott Counties, Tennessee; North Prong Clear Fork and Crooked Creek, Fentress County, Tennessee; White Oak Creek, Scott County, Tennessee; Bone Camp Creek, Morgan County, Tennessee; and New River, Scott County, Tennessee (Call and Parmalee 1981; Bakaletz 1991; Gordon 1991; Cicerello 1996; Parmalee and Bogan 1998; Cicerello and Laudermilk 2001; R.R. Cicerello, Kentucky State Nature Preserves Commission (KSNPC), personal communication (pers. comm.) 2002, 2003; Service 2004; Ahlstedt et al. 2003).
Ortmann (1924) was the first to note color differences in female oyster mussel mantle pads (shell lining). The mantle color appears to be bluish or greenish white in the Clinch River, grayish to blackish in the Duck River, and mottled brown in the Big South Fork population (Ortmann 1924; Service 2004; J.W. Jones, Virginia Polytechnic Institute and State University (Virginia Tech), pers. comm. 2003). In addition, the Duck River form achieves nearly twice the size of specimens from other populations. Two small projections (microattractants) at the junction of the mantle pads serve to attract host fish. Subtle differences in the morphology of these projections or structures also exist in these two populations and coupled with additional data, suggest that they are distinct species (J.W. Jones, pers. comm. 2002).
Spawning probably occurs in the oyster mussel in late spring or early summer (Gordon and Layzer 1989; J.W. Jones, pers. comm. 2003). Glochidia of the oyster mussel have been identified on seven native host fish species, including the wounded darter (Etheostoma vulneratum), redline darter (E. rufilineatum), bluebreast darter (E. camurum), dusky darter (Percina sciera), banded sculpin (Cottus carolinae), black sculpin (C. baileyi), and mottled sculpin (C. bairdi) (Yeager and Saylor 1995; J.W. Jones and R.J. Neves, U.S. Geological Survey (USGS), unpublished (unpub.) data 1998). Oyster mussels typically occur in sand and gravel substrate in streams ranging from mediumsized creeks to large rivers (Gordon 1991; Parmalee and Bogan 1998). They prefer shallow riffles and shoals and have been found associated with water willow (Justicia americana) beds (Ortmann 1924; Gordon 1991; Parmalee and Bogan 1998).
The oyster mussel was one of the most widely distributed Cumberlandian mussel species, with historical records existing from six States (Alabama, Georgia, Kentucky, North Carolina, Tennessee, and Virginia). It has been eliminated from the entire Cumberland River System and the Tennessee River main stem and a large number of its tributaries (Fraley and Ahlstedt 2001; S.A. Ahlstedt, USGS, pers. comm. 2002, 2003; Service 2004; Ahlstedt 1991a; J.W. Jones, pers. comm. 2003). This mussel is now extant only in a handful of stream and river reaches in two States, including the Duck River, Maury and Marshall counties, Tennessee; Clinch River, Hancock County, Tennessee, and Scott County, Virginia; and Nolichucky River, Hamblen and Cocke counties, Tennessee (Wolcott and Neves 1990; Ahlstedt 1991b; Bakaletz 1991; Gordon 1991; Ahlstedt and Tuberville 1997; S.A. Ahlstedt, pers. comm. 2003; Service 2004; J.W. Jones, pers. comm. 2003).
Spawning in Cumberlandian combshell most likely occurs in late summer and fall, while the actual release of glochidia takes place during the remainder of the year.
Spawning in Cumberlandian combshell most likely occurs in late
summer and fall, while the actual release of glochidia takes place
during the remainder of the year (J.W. Jones, pers. comm. 2003; J. Layzer, Tennessee Technological University, pers. comm.
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2003). Glochidia of the Cumberlandian combshell have been identified on
several native host fish species, including the wounded darter, redline
darter, bluebreast darter, snubnose darter (Etheostoma simoterum),
greenside darter (E. blennioides), logperch (Percina caprodes), banded
sculpin, black sculpin, and mottled sculpin (Yeager and Saylor 1995;
J.W. Jones and R.J. Neves, unpub. data 1998). This species is typically
associated with riffle and shoal areas in medium to largesized rivers
(Gordon 1991; Parmalee and Bogan 1998). It is found in substrate ranging from coarse sand to cobble (Gordon 1991).
This species, like the oyster mussel, was once widely distributed, historically occurring in five States (Alabama, Kentucky, Mississippi, Tennessee, and Virginia). It has likewise apparently been eliminated from the main stems of the Tennessee and Cumberland rivers and several of their tributaries (Service 2004). It is now restricted to five stream reaches. The Cumberlandian combshell persists in Bear Creek, Colbert County, Alabama, and Tishomingo County, Mississippi; Powell River, Claiborne and Hancock Counties, Tennessee, and Lee County, Virginia; Clinch River, Hancock County, Tennessee, and Scott and Russell Counties, Virginia; Big South Fork, Scott County, Tennessee, and McCreary County, Kentucky; and Buck Creek, Pulaski County, Kentucky (Isom and Yokely 1968; Schuster et al. 1989; Ahlstedt 1991b; Bakaletz 1991; Gordon 1991; Ahlstedt and Tuberville 1997; Hagman 2000; S.A. Ahlstedt, pers. comm. 2002; R.M. Jones, Mississippi Museum of Natural Science, pers. comm. 2002; R.R. Cicerello, pers. comm. 2003; McGregor and Garner 2004).
Gravid female purple beans have been observed in January and February (Ahlstedt 1991b; R.S. Butler, Service, pers. comm. 2003). Glochidia of the purple bean have been identified on the fantail darter (Etheostoma flabellare), greenside darter, banded sculpin, black sculpin, and mottled sculpin (Watson and Neves 1996; J. W. Jones, pers. comm. 2003). This species inhabits small creeks to mediumsized rivers and can be found in a variety of substrates (Gordon 1991; Parmalee and Bogan 1998).
The purple bean is endemic to the upper Tennessee River drainage in
Tennessee and Virginia. Its historical range included Powell River, Lee
County, Virginia; Clinch River System, Claiborne, Grainger, and Hancock
Counties, Tennessee, and Russell, Scott, Tazewell, and Wise counties,
Virginia; Emory River System Morgan and Cumberland Counties, Tennessee;
and Holston River System, Hawkins and Sullivan Counties, Tennessee, and
Scott and Washington Counties, Virginia. It has apparently been
extirpated from Powell River, Emory River, Daddys Creek (Emory River
System), North Fork Beech Creek (Holston River System), and North Fork
Holston River (Service 2004). The purple bean persists in portions of
the Clinch River main stem, Hancock County, Tennessee, and Scott,
Russell, and Tazewell Counties, Virginia; Copper Creek (a Clinch River
tributary), Scott County, Virginia; Indian Creek (a Clinch River
tributary), Tazewell County, Virginia; Obed River (an Emory River
tributary), Morgan and Cumberland Counties, Tennessee; and Beech Creek
(a Holston River tributary), Hawkins County, Tennessee (Ahlstedt 1991b;
Gordon 1991; Winston and Neves 1997; Watson and Neves 1996; Ahlstedt
and Tuberville 1997; S.A. Ahlstedt, pers. comm. 2000, 2002, 2003; Fraley and Ahlstedt 2001).
Rough Rabbitsfoot (Quadrula cylindrica strigillata (Wright 1898))
Spawning for the rough rabbitsfoot apparently occurs from May through June (Yeager and Neves 1986). Glochidia of rough rabbitsfoot have been identified on the whitetail shiner (Cyprinella galactura), spotfin shiner (Cyprinella spiloptera), and bigeye chub (Hybopsis amblops) (Yeager and Neves 1986). This species prefers clean sand and gravel substrate in streams ranging from mediumsized creeks to medium sized rivers (Parmalee and Bogan 1998).
Like the purple bean, the rough rabbitsfoot is endemic to the upper Tennessee River System. The rough rabbitsfoot historically occupied Powell River, Hancock and Claiborne Counties, Tennessee, and Lee County, Virginia; Clinch River System, Hancock and Claiborne Counties, Tennessee, and Russell, Scott, and Tazewell Counties, Virginia; and Holston River System, Hawkins and Sullivan Counties, Tennessee, and Scott and Washington Counties, Virginia. It is apparently extirpated from the entire Holston River System (Service 2004). It currently persists in portions of Powell River, Claiborne and Hancock Counties, Tennessee and Lee County, Virginia; Clinch River, Hancock County, Tennessee and Scott, Russell, and Tazewell Counties, Virginia; and in Indian Creek, Tazewell County, Virginia (Ahlstedt 1981; Gordon 1991; Ahlstedt and Tuberville 1997; Winston and Neves 1997; Watson and Neves 1996; S.A. Ahlstedt, pers. comm. 2000, 2002, 2003; Fraley and Ahlstedt 2001).
The summary of these five mussels presented above represents our
current understanding of their historical and current range and
distribution. Research is ongoing regarding further taxonomic division of some species. For example, varying mantle coloration,
microattractant configuration, size differential, and spawning cycles
may indicate that the oyster mussel is actually a species complex (more
than one species represented). Researchers from Virginia Tech are in
the process of formally describing the Duck River variety (J.W. Jones,
unpub. data), and most malacologists (biologists specializing in the
life history and ecology of mollusks) believe that the Big South Fork
variety is actually a sister species of the federally listed endangered
tan riffleshell (Epioblasma florentina walkeri), a closely related
species (historical records do exist, however, for true oyster mussels
in the Big South Fork (see Unit 9 description) (S.A. Ahlstedt, pers.
comm. 2002, 2003; J.W. Jones, pers. comm. 2003). Research focusing on
the Big South Fork Epioblasma should be completed and published later
this year (J.W. Jones, pers. comm. 2003). Therefore for this final
rule, we recognize the extant Epioblasma in the Big South Fork River
main stem as a sister species of the tan riffleshell. We also believe
for this final rule that the Duck River oyster mussel population is
true E. capsaeformis. For the remainder of the species, the
distributions presented above are based upon shell morphology as
described and currently recognized in the best available information.
Therefore, we will consider these species' current ranges as outlined above, until presented with new information.
Please refer to our proposed rule (68 FR 33234, June 3, 2003) and the recovery plan (Service 2004) for a summary of the decline of and threats to all five mussel species.
On October 12, 2000, the Southern Appalachian Biodiversity Project
filed a lawsuit in U.S. District Court for the Eastern District of
Tennessee against the Service, the Director of the Service, and the
Secretary of the Department of the Interior, challenging our not
prudent critical habitat determination for the 5 Cumberlandian Region
mussel species. On November 8, 2001, the District Court issued an order directing us to reevaluate our prudency determination for
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these five mussels and submit new proposed prudency determinations for
the Cumberland elktoe to the Federal Register no later than May 19,
2003, and for the remaining four mussels to the Federal Register no
later than June 16, 2003. We were also directed to submit by those same
dates new proposed critical habitat designations, if prudent.
Additionally, for the mussels in which critical habitat was found to be
prudent, we were directed to finalize our designation not less than 12
months following the prudency determination. On January 8, 2004, the
District Court extended our deadline to submit the final rule to the
Office of the Federal Register to not later than August 19, 2004.
Other Federal actions for these species prior to June 3, 2003, are outlined in our proposed rule to designate critical habitat for these 5 mussel species (68 FR 33234). Publication of the proposed rule opened a 60day comment period, which closed on September 2, 2003. The comment period was reopened October 6, 2003, through December 5, 2003, in order to receive comments on a draft economic analysis, a technical correction and possible modification of Unit 8 Rock Creek, and to accommodate a public hearing which was held on October 29, 2003, in Tazewell County, Virginia (68 FR 57643).
During the open comment periods for the proposed rule (68 FR 33234), public hearing, and draft economic analysis (68 FR 57643), and the October 2003 reopening (68 FR 57643), we requested all interested parties to submit comments or information concerning the proposed designation of critical habitat for the 5 mussels. We contacted all appropriate Federal, State, and local agencies, county governments, elected officials, scientific organizations, and other interested parties and invited them to comment. We also sent notifications to the following newspapers: TimesDaily, Florence, Alabama; The Tennessean, Nashville, Tennessee; The Knoxville NewsSentinel, Knoxville, Tennessee; The Kingsport TimesNews, Kingsport, Tennessee; The Columbia Daily Herald, Columbia, Tennessee; and The Commonwealth Journal, Somerset, Kentucky.
We received a total of 27 comments at the public hearing and during the two comment periods. A transcript of the hearing is available for inspection (see ADDRESSES section). Nine comments supported the proposed designation. Of these, two also supported an expansion of critical habitat, ten comments expressed opposition, and four either provided additional information, were noncommittal, or expressed both opposition to and support of certain aspects of the proposed designation. Four of the responses were from the peer reviewers. Comments were received from five private organizations, four Federal agencies, three State governmental agencies, one business, three local governments, and four individuals. Several of the respondents commented on more than one occasion (e.g., at the public hearing and during the first comment period).
We directly notified and requested comments from all affected States. The State comments can be found in the Comment Section under numbers 1, 2, and 3 for Kentucky State Nature Preserves Commission (KNPC), 13 and 34 for the Virginia Department of Transportation (VDOT), and 14 and 35 for the Tennessee Department of Environment and Conservation (TDEC). TDEC and KNPC both submitted comments in support of the designation. KNPC also supported an expansion of designated areas. The States of Virginia, Alabama, and Mississippi expressed no position.
In accordance with our peer review policy published in the Federal Register on July 1, 1994 (59 FR 34270), we requested the expert opinions of four independent specialists who are recognized authorities on freshwater mussels and the Tennessee and Cumberland River Basins regarding pertinent scientific or commercial data and assumptions relating to the supporting biological and ecological information in the proposed designation. The purpose of such review is to ensure that the designation is based on scientifically sound data, assumptions, and analyses, including input of appropriate experts and specialists. All four experts submitted written responses that the proposal included a thorough and accurate review of the available scientific and commercial data on these mussels and their habitats. The peer reviewers neither endorsed nor opposed the proposed designation, but provided technical corrections and additional information for consideration. Comments from peer reviewers are included in the summary below and have been incorporated into this final rule.
We reviewed all comments received for substantive issues and any
new information regarding the mussels and critical habitat, and the
draft economic analysis. Written comments and oral statements presented
at the public hearing and received during the comment periods are
addressed in the following summary. For readers' convenience, we have
assigned comments to major issue categories and we have combined similar comments into single comments and responses.
Peer Review Comments
(1) Comment: The current distribution of the Cumberland elktoe in
Rock Creek extends upstream from Dolen Branch. It is described
inaccurately in the text, but it is depicted accurately on the Unit 8 map.
Response: After our proposed rule was published, we were informed
by the U.S. Forest Service (USFS) that we did not include a reach of
Rock Creek upstream of Dolen Branch that contains a 1998 record of a
live Cumberland elktoe. This specimen was collected approximately 5 rkm
(3 rmi) upstream of Dolen Branch, southwest of Bell Farm. In an October
6, 2003, Federal Register notice (68 FR 57643), we announced that we
were considering a 6.4 rkm (4.0 rmi) upstream extension to Unit 8. We
visited the proposed extension and found that it contains one or more
of the primary constituent elements and is of similar quality habitat
and character as the remainder of the Unit. We are, therefore,
including the upstream extension in our final designation (see Map Unit 8).
(2) Comment: The Sinking Creek (Unit 11) Cumberland elktoe
population is described as ``strong,'' but it should be considered ``uncommon.''
Response: We concur and have modified the text accordingly (see ``Critical Habitat Unit Description'' section).
(3) Comment: Critical habitat must include the upstream watershed to conserve aquatic organisms.
Response: Critical habitat designations have relevance to section 7
consultations, which apply solely to Federal actions, including those
funded or authorized by Federal agencies. When evaluating the effects
of any Federal action subject to a section 7 consultation, activities
upstream or along the margin of a designated area must be considered
for adverse impacts to critical habitat. Therefore, specific
designation of areas above or adjacent to stream channel critical
habitats is unnecessary. Identification of the stream channel as
critical habitat will provide notice to Federal agencies to review
activities conducted within the drainage on their potential effects to the channel, and will alert third parties of the
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importance of the area to the survival of the species.
(4) Comment: The identified spawning period for the oyster mussel
and Cumberlandian combshell is really the glochidial release period.
Response: We have made the appropriate change to the ``Taxonomy, Life History, and Distribution'' section.
(5) Comment: The Duck River population of the oyster mussel will be described as a new species within the next year or so.
Response: We concur that there are differences between the oyster
mussel in the Duck River and in other extant populations of the oyster
mussel in the Tennessee River System. However, for the purpose of this
rule, we continue to consider the oyster mussel in the Duck River as
true E. capsaeformis (see Taxonomy, Life History, and Distribution section).
(6) Comment: The taxonomic status of tan riffleshell (Epioblasma
florentina walkeri) in the Big South Fork National River and Recreation
Area (BSFNRRA) is unambiguous; therefore, this population is not the oyster mussel (Epioblasma capsaeformis).
Response: We concur and have made the appropriate changes to the
text (see ``Taxonomy, Life History, and Distribution'' and ``Critical Habitat Unit Descriptions'' sections).
(7) Comment: The mantle pad color of the tan riffleshell
(Epioblasma florentina walkeri) in the Big South Fork is mottledbrown, not white.
Response: We have modified the text accordingly (see ``Taxonomy, Life History, and Distribution'' section).
(8) Comment: The oyster mussel is likely extirpated from the Clinch
River in Russell and Tazewell counties, Virginia, and perhaps from the entire Powell River in Virginia and Tennessee.
Response: We believe that the oyster mussel is likely extirpated
from the Powell River, since no live individuals or shells have been
found there in the last 14 years. The last time it was found in the
Powell River was in Tazewell County, Virginia, in 1990. However,
mussels are cryptic species living embedded in the bottom of rivers,
and rare species, the oyster mussel in particular, may be difficult to
find. The oyster mussel may be found again in this stretch of the
Powell in the near future. It has been found recently in Scott County,
Virginia, in the Clinch River. We have revised the appropriate sections in the rule to reflect this information.
(9) Comment: Black sculpin (Cottus baileyi) and banded sculpin
(Cottus carolinae) also serve as host fish for purple bean.
Response: We concur and have modified the rule accordingly (see ``Taxonomy, Life History, and Distribution'' section).
Public Comments
Issue A: Comments on Adequacy and Extent of Critical Habitat
(10) Comment: It is premature to consider the lower Holston River,
lower French Broad River, and Tennessee River below Wilson Dam as
potential components of critical habitat for any of these species.
Response: We have determined that these areas are essential to the
conservation of the oyster mussel and Cumberlandian combshell. These
areas are some of the only river sections remaining that contain the
primary constituent elements that are needed for reintroducing these
species into their historical habitat. The Tennessee River below Wilson
Dam is an established nonessential experimental population (NEP) for 16
mussel species, which includes the oyster mussel and Cumberlandian
combshell. Under section 10(j) of the Act, we cannot designate critical
habitat for nonessential experimental populations. We are also actively
considering the lower French Broad, lower Holston, and Rockcastle
Rivers for designation as NEPs to create additional viable populations
necessary to conserve and recover the species. Therefore, with this
rule, we are not designating the freeflowing reach of the French Broad
River below Douglas Dam to its confluence with the Holston River, the
freeflowing reach of the Holston River below Cherokee Dam to its
confluence with the French Broad River, and the freeflowing reach of
the Rockcastle River from the backwaters of Cumberland Lake upstream to
Kentucky Route 1956 bridge as critical habitat due to their current or
potential status as NEPs. Based on our evaluation under section 4(b)(2)
of the Act, we have excluded these potential NEP areas from
consideration as critical habitat. See ``Exclusions Under Section 4(b)(2).''
(11) Comment: It is unclear why suitable river areas (e.g., Knox
County sections of the French Broad for the oyster mussel) should be
excluded from critical habitat consideration because of ``potential status as nonessential experimental population area.''
Response: Section 10(j)(2) of the Act provides for the designation of specific reintroduced populations of listed species as
``experimental populations.'' It also states that critical habitat
shall not be designated under the Act for any experimental population
determined to be not essential to the continued existence of a species.
We are actively working with partners and pursuing an NEP designation
in the lower French Broad and lower Holston Rivers in Tennessee as well
as the Rockcastle River in Kentucky. We believe that the benefits of
excluding the remaining river reaches from the designation, from a
conservation standpoint, outweigh the benefits of their inclusion (See
the Benefits of Inclusion and Benefits of Exclusion Sections in the
Proposed Rule, 68 FR 33234). Experimental populations provide us with a
flexible, proactive means to meet recovery criteria while not
alienating stakeholders, such as municipalities and landowners, whose
cooperation is essential for eventual success of the reintroduced population.
(12) Comment: Consider using NEPs of nonendangered species and, on
occasion, endangered species in the tailwaters of the lower French
Broad River, lower Holston River, and Tennessee River downstream of
Wilson Dam to determine the realistic limits of their potential use as habitat.
Response: NEPs, as specified in section 10(j) of the Act, are only used for federally listed species. A NEP already exists in the Tennessee River downstream of Wilson Dam for 16 federally listed mussels and under section 10(j) of the Act, we can not designate critical habitat for nonessential experimental populations. The lower French Broad and lower Holston Rivers are presently being considered for designation as NEPs. We have concluded that these three areas, in addition to the Rockcastle River, are essential to the conservation of the oyster mussel and Cumberlandian combshell and are important to our recovery strategy. These areas are some of the only river sections remaining that contain the primary constituent elements that are needed for reintroducing these species into their historical habitat. Based on our evaluation under section 4(b)(2) of the Act, we have excluded these potential NEP areas from consideration as critical habitat. (13) Comment: The Service should exclude any roadway and bridge projects in the Powell and Clinch River systems from the section 7 consultations that might result from the critical habitat designation because of the precautions implemented by the VDOT during design, construction, and maintenance activities to minimize projects' effects on the mussel species.
Response: Only projects that have a Federal nexus (i.e., Federal funding, Federal permit required, etc.) will
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trigger section 7 of the Act. Federal agencies consult on actions that
may affect listed species of its designated critical habitat. One of
the benefits of critical habitat designation is to inform Federal
agencies and other third parties of the importance of habitats to the
conservation of species, and thus allow for the early consideration of
alternatives to actions that might destroy or adversely affect critical
habitat. We acknowledge the precautions taken by the VDOT to protect
these species and encourage early planning and coordination that can
help by resulting in projects that may be determined ``not likely to
adversely affect'' under section 7 and thus avoid a formal
consultation. However, we cannot exempt an entity entirely from
provisions of section 7 of the Act if there is a Federal nexus. These
areas are being retained in the final critical habitat designation
because the Powell and Clinch Rivers represent some of the best
remaining habitat for four of the five mussels in question. Both
streams contain one or more primary constituent elements along with
populations of the mussels and are essential to their conservation.
(14) Comment: The TDEC and others commented that the Service should
exclude the Old Columbia Dam and its impoundment from the final
designation because it does not contain the primary constituent elements or mussels in question.
Response: The Old Columbia Dam in Unit 1, at approximately 4.3
meters (14.0 feet) in height, impounds an area from rkm 211 (rmi 131)
to rkm 220 (rmi 136.4). Our regulations allow us to designate inclusive
areas where the species is not present if they are adjacent to areas
occupied by the species and essential to their management and
protection (50 CFR 424.12(d)). The dam is inundated during extreme high
water conditions and has flowthrough during lower water conditions
which allows for at least downstream movement of host fishes and
possibly attached glochidia. This short reach does contain one or more
of the primary constituent elements and is important in maintaining
downstream water quality and quantity. It also serves as a downstream
corridor between the areas below and above the dam where the oyster
mussel is known to survive. Including this reach in the designation
will not preclude its continued use for water supply, and the dam
itself, which was constructed in 1925, is not included in the critical
habitat designation (see ``Critical Habitat Unit Descriptions'' section discussion of existing features).
(15) Comment: The areas designated as critical habitat should be larger to include historical habitat.
Response: Each of the 13 critical habitat units contains one or
more of the primary constituent elements and is currently occupied by
one or more of the five listed mussels. Because portions of the
historical range of each of the five mussels are shared with two or
more of the other mussel species, there is considerable overlap between
species' current and historical distribution within the 13 habitat
units (e.g., the critical habitat for the oyster mussel includes the
Powell River, even though this mussel has not been found in the Powell
River in 14 years). We believe that we have an adequate mix of occupied
and unoccupied habitat (historical) in our final critical habitat
designation to establish additional viable populations necessary to
conserve the species. Including a mix of occupied and unoccupied
habitat offers opportunities to increase each species' current range
and number of extant populations into units currently occupied by other
listed species included in this designation. We are either designating
critical habitat or actively pursuing NEPs for all the remaining habitat that could support these five mussel species.
(16) Comment: The designation of critical habitat for the
Cumberland elktoe mussel in upper Crooked Creek and upper North Prong
of Clear Fork will preclude future construction of a water supply
reservoir potentially located in these headwaters and should be moved downstream to accommodate this need.
Response: The Cumberland elktoe presently occurs in both Crooked
Creek and the North Prong of Clear Fork. Section 7 of the Act already
applies to Federal agencies and their actions as a result of the
presence of this federally listed mussel. The habitat designated in
Crooked Creek and North Prong Clear Fork contains one or more of the
primary constituent elements and has been found to be essential to the
conservation of this mussel. After reviewing the best available
information, including all public comments, new information, and the
economic analysis, we are designating critical habitat for the
Cumberland elktoe in these two streams. We refer the reader to the
``Methods and Analysis Used to Identify Critical Habitat for Five
Mussel Species'' section in which we explain our rationale for designating critical habitat.
(17) Comment: Can the area designated as critical habitat be
expanded in the future to include other streams located in Tazewell
County, Virginia, and wouldn't any potential expansion of the areas likewise negatively impact the county?
Response: Under the Act, we can, from time to time as appropriate,
revise critical habitat based on the best available information. Such a
revision would require us to complete the same rulemaking procedures
that occurred with this rule. These procedures include publishing a
proposed designation, requesting public comment on a proposed rule,
peerreviewing the proposed rule, conducting public hearings if
requested, and publishing a final rule. We are required under the Act
when designating or revising critical habitat to evaluate economic or
any other relevant impacts associated with specifying an area as
critical habitat. Therefore, we would also conduct a new economic analysis as part of this process.
Issue B: Procedural and Legal Comments
(18) Comment: Several commenters stated that the critical habitat
designation will place undue bureaucratic requirements on small businesses.
Response: Small businesses will only be involved in a section 7
requirement if a project or activity that they are working on is
federally funded or permitted or otherwise involves a Federal nexus.
The designation of critical habitat for these five mussels will not
have a significant economic impact on a substantial number of small
entities. Impacts to small businesses are included in the small
business analysis in Appendix C of the economic analysis. We refer the
reader to the sections below entitled ``Regulatory Flexibility Act'' (5
U.S.C. 601 et seq.) and ``Small Business Regulatory Enforcement Fairness Act'' (5 U.S.C. 802(2)) for more details.
(19) Comment: Comments were received regarding the accuracy of the
Service's disclaimer and the belief that the text in the sections
``Designation of Critical Habitat Provides Little Additional Protection
to Species,'' ``Role of Critical Habitat in Actual Practice of
Administering and Implementing the Act,'' and ``Procedural and Resource
Difficulties in Designating Critical Habitat'' of the proposed rule is
factually inaccurate on three specific topics: (1) That critical
habitat provides little additional protection to species, (2) that
there are insufficient budgetary resources and time to designate
critical habitat for listed species, and (3) that the statement ``these measures * * * may make the difference between
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extinction and survival for many species'' applies a standard of
survival that is different from the standard of conservation that is mandated by the Act.
Response: As discussed in the sections ``Designation of Critical
Habitat Provides Little Additional Protection to Species,'' ``Role of
Critical Habitat in Actual Practice of Administering and Implementing
the Act,'' and ``Procedural and Resource Difficulties in Designating
Critical Habitat'' and other sections of this and other critical
habitat designations, we believe that, in most cases, conservation
mechanisms provided through section 7 consultations, the section 4
recovery planning process, the section 9 protective prohibitions of
unauthorized take, section 6 funding to the States, the section 10
incidental take permit process, and cooperative programs with private
and public landholders and tribal nations provide greater incentives
and conservation benefits than does the designation of critical habitat.
(20) Comment: Existing public facilities serving essential needs of
the community would be considered to be in noncompliance by the Service when the critical habitat designation is made official.
Response: The areas designated as critical habitat do not include
existing features such as water intakes and outfalls, lowlevel dams,
bridge footings, piers and abutments, boat ramps, and exposed
pipelines. Federal actions limited to these existing features would not
trigger consultation pursuant to section 7 of the Act, unless they adversely modify or destroy critical habitat.
(21) Comment: The Columbia Power and Water Systems (CPWS) requested
that they be allowed to provide input into the regulatory flexibility
analysis on behalf of the local small entities that would be affected by the proposed designation.
Response: No regulatory flexibility analysis is required if the
head of the Federal agency certifies that the rule will not have a
significant economic impact on a substantial number of small entities.
We have certified that this rule will not have a significant effect on
a substantial number of small entities. We refer the reader to the
``Regulatory Flexibility Act'' section of this rule in which we explain why we came to that conclusion.
(22) Comment: CPWS requested that we revisit our initial
certification that a regulatory flexibility analysis is not required.
Response: We have revisited that decision and, relying upon data in
the final economic analysis, we have again certified that the
designation of critical habitat for these five mussel species will not
have a significant economic impact on a substantial number of small
entities and that a regulatory flexibility analysis is not required (see ``Regulatory Flexibility Analysis'' section).
(23) Comment: CPWS is concerned about the possibility of ``taking''
(as defined under the Act) implications of this proposed designation.
Response: As defined under section 3(18) of the Act: the term
``take'' means to harass, harm, pursue, hunt, shoot, wound, kill, trap,
capture, or collect, or attempt to engage in any such conduct. Section
9 of the Act applies to the species itself and not to the critical
habitat. Since federally listed species already exist in this reach of
the Duck River, section 9 of the Act already applies and will not
change as a result of the designation of critical habitat. For the same
reasons, section 7 already applies to any Federal activity. The
designation of critical habitat will not affect the operation of
existing structures such as the Old Columbia Dam, as they are presently
being operated. Any additions, modifications, new structures, etc., would be subject to section 7.
(24) Comment: The critical habitat designation for the entire Duck
River reach could prevent development of several of the Tennessee Valley Authority (TVA) water supply alternatives.
Response: These alternatives were already subject to section 7 of
the Act due to the fact that federally listed species occur in the Duck
River. The inclusion of a reach of the Duck River as critical habitat
will not affect this requirement for Federal agencies. They will still
have to comply with section 7, but their consultation with the Service
now must include a determination on whether the proposed action may affect critical habitat as well as the species.
(25) Comment: Areas proposed as critical habitat in the Daniel
Boone National Forest (DBNF) should be excluded from the designation
because they currently are, and will continue to be, managed to protect endangered mussels.
Response: The DBNF final forest management plan was completed in April 2004 after our proposed critical habitat rule for the five mussel species was published. We reviewed this plan prior to completing our final critical habitat rule to determine if it provided sufficient conservation benefits specific to the mussel species and if there were assurances that the conservation management strategies would be implemented and effective. We found that though the plan was generic in nature and does provide indirect benefits to overall aquatic systems, it did not specifically address the mussel species. For example, a riparian corridor prescription area was established that includes the watercourse and, for varying widths, its associated uplands; standards were developed for the prescription area to lessen the impacts of various activities on water quality and the physical characteristics of the corridor. However, these standards were not specifically developed for the mussel species, and do not address all the threats to mussels in that area.
Furthermore, the plan does not commit the DBNF to any specific
project or local action, thus there are no assurances that any
conservation management strategies will be implemented for the area,
nor these mussel species. In Chapter 1 of the plan, the DBNF states
that ``As a framework for decisionmaking, this Plan does not commit
the Forest Service to any specific project or local action. Rather, it
describes general management direction; estimates production levels,
and assesses the availability and suitability of lands for resource
management practices.'' Since the plan does not specifically address
mussels and does not provide for measures to reduce threats to mussels, we have not excluded this area from the designation.
(26) Comment: Several commenters suggested that critical habitat could impact private property.
Response: The consultation history for these species does not
include any consultations for private activities on private lands and
few such consultations are anticipated for the future. No Federal nexus
exists for activities on private lands that do not require a Federal
permit or involve the use of Federal funds. Streambeds of nonnavigable
waters and most navigable waters are owned by the riparian landowner,
which can include private lands. Though streambeds designated can
include private lands, without a Federal nexus, these streambeds will
not be affected by the designation. Waters of navigable streams are
considered public waters by the States of Mississippi, Alabama,
Tennessee, Kentucky, and Virginia. The designation includes streams and
river channels within the ordinary high water line. No private upland
areas were proposed. In addition, development activities with the
greatest potential to affect the mussels and habitat revolve around the
increased construction of pipelines, water supply and wastewater infrastructure, and roads and bridges
[[Page 53143]]
within the proposed critical habitat. These activities involved Federal
entities or have a Federal nexus, and thus do not impact entirely
private activity. Increased costs of these activities due to the
presence of species and habitat is captured through the anticipated
consultations and project modifications as quantified within the economic analysis.
(27) Comment: The City of Columbia, Tennessee, commented that the
designation of critical habitat for the mussels may engender additional
State water quality requirements under the Clean Water Act (CWA)
involving total maximum daily load (TMDL) approvals and antidegradation language.
Response: As discussed in Section 4.3.3 of the economic analysis,
the designation of critical habitat can result in greater State
protection to a stream segment. Critical habitat is one of many
considerations used by TDEC when determining whether a water body is a
high quality water (Tier II or Tier III, also known as Outstanding
National Resource Waters) and thus to determine the level of water
quality protection, including the application of TMDLs and
antidegradation language. However, there are stream sections in
Tennessee that contain critical habitat, but are listed on the State's
303(d) list of impaired streams. Therefore, the designation of critical
habitat does not automatically mean that the water body is classified
as high quality water. The designation of critical habitat will not
affect the State water quality requirements on existing discharges. It
could result in greater State protections for new discharges or
modifications to existing discharges. However, since this section of
the Duck River already contains federally listed species, we believe
that the addition of critical habitat will not significantly increase the State's water quality requirements.
(28) Comment: Will the area designated as critical habitat be
required to comply with or be subject to more stringent conditions or
regulations, either now or in the future, and will this stop or delay
economic development along the Clinch River or within the identified drainage area?
Response: The designation of critical habitat on private land will
have no impact on private landowner activities that do not involve
federally funded or authorized activities. Section 7 of the Act already
applies to projects that are federally funded or authorized due to the
existing presence of federally listed species in the stream. Thus, the
designation of critical habitat will not increase the section 7
consultation burden to either the Federal agency or the permit applicant.
(29) Comment: Tazewell County, Virginia, currently has no zoning.
What will be the method of enforcement for the critical habitat?
Response: The burden to comply with the section 7 of the Act falls
only on Federal agencies and projects that they fund or authorize.
Likewise, the burden to enforce the Act is a Federal responsibility
that has been given to the Service. The county is not responsible for enforcement of the Act regardless of the zoning laws.
Issue C: Comments on Individual Units
(30) Comment: For the proposed critical habitat in Unit 1 Duck
River, Table 4 does not indicate that any of the 74 rkm (46 rmi) is bordered by State or Federal land.
Response: We acknowledge this discrepancy and have modified the text accordingly (see ``Land Ownership'' section and Table 4). (31) Comment: There does not appear to be adequate justification for the designation of critical habitat for the oyster mussel and the Cumberlandian combshell in the Duck River Unit. The Service states in the rule that from a resource perspective, critical habitat designation is ineffective.
Response: We noted in our prudency determination that, according to
the standards placed upon us by the courts, a designation for these
five mussels is warranted (see ``Prudency Determination'' in the
proposed rule). The Duck River contains a highly diverse mussel fauna
that is one of the best remaining in the Cumberlandian Region, perhaps
in the country. It contains one or more of the primary constituent
elements and is currently occupied by the oyster mussel and
historically contained the Cumberlandian combshell. It is essential to
the conservation of both taxa. We acknowledge that critical habitat,
from a resource perspective, is often ineffective (see ``Designation of
Critical Habitat Provides Little Additional Protection to Species'' section).
(32) Comment: The Cumberlandian combshell does not currently occur
in the Duck River; therefore, critical habitat for this species should not be designated there.
Response: The Cumberlandian combshell historically occurred in the
Duck River. Water quality and habitat conditions in the Duck River have
improved since the TVA instituted minimum flows for Normandy Dam. The
section of the Duck River designated as critical habitat now contains
higher levels of dissolved oxygen and continuous flow and therefore
possesses one or more of the primary constituent elements for the
Cumberlandian combshell. This reach, although currently devoid of the
Cumberlandian combshell, is essential to its conservation. The Duck River is also occupied by the oyster mussel.
(33) Comment: Critical habitat is not needed because this measure
will not add to the overall or sitespecific protection already
afforded to the three federally listed mussels (Cumberland elktoe,
Cumberlandian combshell, and oyster mussel) that occur in Units 8, 10, 11, and 12.
Response: The Act has given us the requirement to designate critical habitat once we found that the designation of critical habitat for these five mussels was prudent (68 FR 33234) in accordance with standards established by the courts. Once a prudency determination was made, we set about determining what the primary constituent elements were and deciding what areas were essential to the conservation of these species. Units 8, 10, 11, and 12 all contain one or more of the primary constituent elements and we have determined that all these units are essential to the conservation of these three mussels. Therefore, critical habitat is warranted for all four of these units. (34) Comment: VDOT commented that 425 projects in the Powell River System and 275 projects in the Clinch River System may be impacted by the designation of critical habitat for the mussels. The commenter also noted that existing critical habitat for the spotfin chub (Erimonax monacha), yellowfin madtom (Noturus flavipinnis), and slender chub (Erimystax cahni) overlap with the proposed designation for the mussels by 36 percent and none of the past consultations for roadway projects found that the proposed action would adversely modify habitat.
Response: The final economic analysis addresses the estimated total
costs of section 7 projects, which include the VDOT projects that might
be affected by the designation of critical habitat in the Clinch and
Powell River systems. Most of the cost of the designation (77 percent)
is comprised of the administrative costs. The analysis found that
existing State and Federal regulations provide sufficient protection of
these waterways, and as a result section 7 project modifications are
unlikely for most activities. The commenter points out that there is
existing critical habitat and that there have been no past
consultations for roadway projects that have resulted in an adverse
modification of critical habitat. This fact points to the excellent [[Page 53144]]
working relationship between our two agencies and the mutual desire to
insure that areas that are essential to the conservation of a federally listed species are adequately protected.
(35) Comment: Multiple commenters provided information on the
status of the Yanahli Wildlife Management Area (YWMA) in Unit 1 Duck
River. In 2001, TVA transferred the area from rmi 137 to rmi 166 to the Tennessee Wildlife Resource Agency (TWRA).
Response: We acknowledge this new information regarding YWMA and have incorporated that information into the final rule and Appendix B of the economic analysis. TWRA is managing YWMA for wildlife, recreation, and natural and cultural preservation. The deed transfer from TVA to TWRA requires no land be sold or used for residential development. In addition, no industrial use will be allowed on the land. In total, 2,752 ha (6,800 ac) are protected through development and use restrictions, 809 ha (2,000 ac) are protected as State Natural Areas, and 1,538 ha (3,800 ac) that includes Fountain Creek are protected for water supply. This will aid in the protection of the designated critical habitat on the Duck River.
A management plan for this site is still in development. We
anticipate that this plan will be generic in nature to protect overall
water quality, and will not specifically address the mussel species. Thus, we have not excluded this area from the designation.
Issue D: Comments on Science
(36) Comment: The introduction of cultured mussels and host fish
will provide much greater hope for the preservation of these species than a critical habitat designation.
Response: We believe the reintroduction of captively propagated
mussels and host fish is an essential part of the conservation strategy
for these mussels. In the 13 critical habitat units and the potential
NEP areas in lower French Broad, lower Holston, and Rockcastle River
areas that contain one or more of the primary constituent elements
essential for the conservation of these mussels, we have identified
areas that are suitable for reintroductions for the conservation of all of these mussels.
(37) Comment: The designation of critical habitat will not stop the
decline of these species, which is due to of the introduction of exotic clams and other species.
Response: Our recovery biologists are tasked with identifying
threats to federally listed species and using the Service's resources
to reduce or eliminate those threats in our effort to recover the
species. We are aware that exotic species may pose threats to the
native mussel fauna and that critical habitat may not address that
threat. We are working closely with our State partners to address these threats.
Issue E: Comments on Economic Impacts and Economic Analysis
(38) Comment: Tazewell County, Virginia, provided a list of 55
businesses that may potentially be affected by critical habitat
designation for the mussels and inquired as to whether any of these
businesses had been contacted in the process of conducting the economic analysis.
Response: The Tazewell County Administrator was contacted February
27, 2003, and interviewed regarding potential impacts of critical
habitat on the county, as were representatives of each of the 20 other
counties in which critical habitat is being designated. In addition,
all relevant State and Federal regulatory agencies were contacted
regarding potential impacts to projects they authorize or fund. It is
not feasible to contact every small business which might be affected, nor is there any requirement to do so.
(39) Comment: The draft economic analysis should assess potential economic benefits of the critical habitat designation.
Response: The published economic and conservation biology literature indicates that welfare benefits can result from the conservation of endangered and threatened species. A regional economy can benefit from the preservation of healthy populations of endangered and threatened species and the habitat on which they depend. In the final economic analysis of critical habitat designation for the mussels, additional discussion has been provided concerning the potential economic benefits associated with measures implemented for the protection of water and habitat quality that may occur and be attributable to the effects of future section 7 consultations. It is not feasible, however, due to the scarcity of available studies and information relating to the size and value of potential beneficial changes that are likely to occur as a result of the listing of the species or the designation of their critical habitat, to fully describe and accurately quantify all the benefits of potential future section 7 consultation in the context of the economic analysis. Although there are existing studies valuing ecosystem services related to the mussels, such as water filtration, they have limited applicability for valuing the benefits of the critical habitat designation.
The economic analysis does not conclude that the mussels or their critical habitat have no economic value; rather, it simply states that the value cannot be quantified at this time. Further, while the economic analysis concludes that many of the benefits of critical habitat designation are difficult to estimate, it does not necessarily lead to the conclusion that the benefits are exceeded by the costs. We also note that we did not exclude any area due to economic reasons. (40) Comment: If the stream reach below the Old Columbia Dam is designated critical habitat, it is believed that gravel removal will not be permitted. Failure to remove the gravel buildup will cause long term economic loss to the CPWS and impair our rights under the Federal Energy Regulatory Commission (FERC) license.
Response: The Old Columbia Dam is a FERC licensed hydropower
facility with a generating capacity of 300 kilowatts. The dam is not
currently in production for two reasons, (1) a flood in March of 2002
damaged the system and repairs have yet to be made, and (2) a gravel
bar has formed at the tailwater area of the dam, causing a 1.2 m (4.0
foot) elevation of the water level against the downstream side of the
turbine, resulting in a loss of power production. The second issue
could impact the mussels, as the oyster mussel currently occupies the
gravel bar. A formal consultation with the U.S. Army Corps of Engineers
(Corps) and the CPWS would result if the CPWS were to apply for a 404
permit to remove the gravel bar. A potential project modification for
this permit is mussel relocation of half a mile of habitat. It is also
possible that the permit may not be issued. The total project
modification cost, if the permit was issued and mussels were relocated,
could be $75,500 per relocation effort. The present value of the
opportunity cost of lost power production if the permit was not issued
and power generation did not commence would be $452,000 over the next
40 years. Therefore, the costs associated with the Old Columbia Dam
hydropower project could be $75,500 (if the permit was issued and
mussels were relocated as a result of a formal consultation) to
$452,000 (opportunity cost of hydropower generation). However, it has
not been determined whether the CPWS will pursue this project based on
the costs required to rebuild the equipment damaged in the 2002 flood.
(41) Comment: The draft economic analysis completely omits any
discussion of watersupply reservoirs and any analysis of potential indirect economic impacts of this designation
[[Page 53145]]
resulting from the denial of municipal water supply impoundments by regulatory authorities.
Response: A discussion of watersupply reservoirs is addressed in the final economic analysis. Any possible denial of municipal water supply impoundments by regulatory authorities is based on many different issues (e.g., water quality, federally listed species, loss of freeflowing streams, etc.). In each critical habitat unit that we designated, there are existing federally listed species. As a result, section 7 of the Act already applies to any project that has a Federal nexus (e.g., federally funded or authorized) in these units.
The potential indirect economic impacts cannot be quantified since proposals do not presently exist for a municipal water supply impoundment in any of the designated critical habitat units. Additionally, there is no way to quantify any potential permit denials from regulatory authorities based on the single criteria of critical habitat. We have stated in the final economic analysis that the section 7 consultations
FOR FURTHER INFORMATION CONTACT Timothy Merritt, Tennessee Field Office (telephone (931) 5286481, facsimile (931) 5287075).
14 CFR Part 39 40 CFR Part 52 14 CFR Part 71 33 CFR Part 165 50 CFR Part 679 26 CFR Part 1 40 CFR Part 180 47 CFR Part 73 50 CFR Part 17 33 CFR Part 117 44 CFR Part 67 50 CFR Part 648 14 CFR Part 97 33 CFR Part 100 40 CFR Part 63 50 CFR Part 622 26 CFR Part 301 39 CFR Part 111 40 CFR Part 300 50 CFR Part 660 44 CFR Part 65 40 CFR Parts 52 and 81 40 CFR Part 271 47 CFR Part 64 50 CFR Part 665 47 CFR Part 76 50 CFR Part 229 14 CFR Part 23 14 CFR Part 25 21 CFR Part 522