Subbasin Planning and the Endangered Species Act
The National Marine Fisheries Service has responded to the Council's
question on whether the Council's guidance for subbasin planning is
adequate for Endangered Species Act purposes. NMFS's letter
to the Council and local recovery
plan guidelines detail their position.
For more information, contact Elizabeth
Gaar at 503-234-5434.
Related links
Questions from the letter:
What is the relationship between subbasin planning and the
Federal Columbia River Power System (FCRPS) Biological Opinion?
When will biological recovery goals be available to use
for subbasin planning?
What is the relationship between subbasin plans and
recovery plans?
What elements do subbasin plans need to have to be part of
a recovery plan adopted by NMFS?
What is needed beyond the Council's Fish and Wildlife
Program for a local recovery plan?
Who should do recovery plans?
What is the role of federal lands in subbasin planning?
What if subbasin plans address only habitat restoration
actions and not the full suite of subbasin recovery plan elements?
What assessments and plans need to be complete for a
subbasin plan/ local recovery plan?
What is the relationship between subbasin planners and
the TRT?
What is the relationship between subbasin assessments and
the work of the TRTs?
Can NMFS provide ESA assurances for subbasin planning?
How will subbasin plans affect the discharge of other
NMFS ESA responsibilities?
Answers:
Q: What is the relationship between subbasin
planning and the Federal Columbia River Power System (FCRPS) Biological
Opinion?
A: Under the 2000 FCRPS BiOp, NMFS expects the Bonneville Power
Administration (BPA), the Corps of Engineers, and the Bureau of
Reclamation to meet their ESA obligations in part through offsite
mitigation. Subbasin plans are a substantial component of offsite
mitigation. The BiOp relies on subbasin plans to identify and prioritize
specific actions needed to recover listed salmon and steelhead in
tributary and estuary habitats and to provide context for determining how
much benefit is likely from each action or set of actions.
The Council's program is established for the purpose of guiding BPA
revenues to mitigate the impact of hydropower on fish and wildlife.
The Council's 2000 program amendment requires subbasin planning for
these purposes. The BiOp contemplates that subbasin plans will be
developed through the Council's program and that they will be fully
integrated with appropriate state and tribal planning programs.
Although not named specifically in the BiOp, such programs would include
the Columbia Basin treaty tribes? plan for salmon recovery, Wy-Kan-Ush-Mi
Wa-Kish-Wit and planning through the State of Washington's Fish
Recovery Boards and the State of Oregon's Watershed Enhancement
Board. Specifically, the 2000 FCRPS BiOp requires the BPA to
?work with the NPPC (Council) to ensure development and updating
of subbasin assessments and plans; match state and local funding for
coordinated development of watershed assessments and plans; and help fund
technical support for subbasin and watershed plan implementation from 2001
to 2006" (Action 154).
NMFS expects subbasin plans to include implementation of the BiOp's
offsite mitigation actions in the Reasonable and Prudent Alternative
(RPA). In particular, subbasin planning should provide for RPA
habitat actions 149 through 163 and the harvest and hatchery RPA actions
164 through 178 that pertain to and require local planning and
management. NMFS also expects subbasin plans to incorporate the
research, monitoring and effective strategies and actions, particularly
those described in RPA action 179, 180, and 183.
The BiOp also requires recovery goals for all listed salmon ESUs in the
Columbia Basin by 2003 (Action 179). The BiOp requires a finding in
the 2003 annual report regarding the action agencies? use of
ESU-specific strategies developed through subbasin and watershed
assessments and plans to ensure that the agencies are on track with
meeting the BiOp's offsite mitigation standards (BiOp section 9.5.2.2).
NMFS has worked closely with the Council to develop the Technical Guide so
that Council-approved subbasin plans can meet the BiOp requirements and
thus help form the basis of ESA recovery plans.
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Q: When will biological recovery goals be
available to use for subbasin planning?
A: It helps to first explain NMFS? recovery planning
obligations and time frames, and then relate those obligations to subbasin
planning. NMFS has a statutory obligation in section 4(f) of the ESA
to develop recovery plans for all salmon and steelhead listed as
threatened or endangered. The ESA requires recovery plans to contain
objective, measurable criteria for de-listing, site specific actions
designed to promote recovery, and an estimate of the time and cost
required to achieve recovery. There are 12 evolutionarily
significant units (ESUs) of Pacific salmon and steelhead presently listed
as threatened or endangered under the ESA that spawn and rear in the
Columbia Basin. In its ?Recovery Guidance for West Coast salmon (www.nwfsc.noaa.gov),
NMFS identified ?recovery domains? or recovery planning units for
addressing multiple ESUs.
The Columbia Basin includes the Willamette/Lower Columbia (WLC) (from
the estuary to the Dalles Dam), with five listed ESUs, and the Interior
Columbia Domain (the rest of the Basin), with seven listed ESUs.
Most ESUs in the Columbia Domains contain multiple populations.
NMFS established Technical Recovery Teams (TRTs) for both the WLC and
Interior Columbia domains. Their purpose is to develop biological
de-listing criteria for recommendation to NMFS and to analyze the factors
limiting each ESU and each population. As required in the FCRPS
BiOp, the biological de-listing criteria (or biological goals) for
Columbia Basin ESUs will be complete by September 2003. Preliminary
recommendations that identify the populations and that recommend
approaches to viability criteria have been completed by the WLC TRT and
are out for technical and policy review. We expect their final
recommendations and resulting NMFS decisions before the end of 2002.
We expect subbasin plans in the WLC area to be able to incorporate the
biological de-listing criteria developed through that process.
For the Interior Columbia subbasins, NMFS identified tentative spawning
aggregations, which should be similar to independent populations
ultimately identified by the TRT, and provided interim abundance
and productivity targets for those aggregations (letter from Bob Lohn to
Larry Cassidy April 3 2002). Those interim targets will remain
effective until replaced by final biological delisting criteria.
Estimated time frames for Interior Columbia TRT products include:
- September 2002 - TRT's preliminary population identification;
- December 2002 - NMFS adopts final population identification;
- January 2003 - TRT's preliminary population viability goals for
abundance, productivity, spatial distribution and diversity;
- April 2003 - NMFS adopts final population viability goals
- September 2003 - TRT's recommendations for ESU wide delisting
scenarios;
- December 2003 - TRT's recommendations for habitat
characterizations and for limiting factors/factors for decline
analyses based on the integration of their analyses with
subbasin/watershed assessments;
To the extent that the population viability goals expected in April
2003 are not timely for use in the present round of subbasin planning,
subbasin planners can and should use the Interior Columbia interim targets
for abundance and productivity as a starting point. For subbasin plans
that are getting a later start, NMFS encourages subbasin planners to use
the more fully developed TRT and NMFS products, as they become available.
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Q: What is the relationship between subbasin
plans and recovery plans?
A: Recovery plans need to address the levels of both the ESU and
the independent population. The area inhabited by independent populations
is an appropriate scale for addressing tributary habitat, the potential
role of local artificial production, and local harvest objectives.
Subbasin plans should be meaningful to the scale of the independent
population to the greatest extent possible given available
information. Ultimately, because many ESUs inhabit more than one
subbasin, subbasin plans will need to be ?rolled up? or integrated
into ESU-scale recovery plans.
NMFS intends to build its ESU-scale recovery plans from the present
round of subbasin plans (scheduled for submittal to the Council from 2002
to 2004) and from ?out of subbasin? components including large scale
harvest, large scale hatchery, mainstem hydropower, assumptions about
ocean survival and natural variability, integrated monitoring, evaluation
and research, and an economic assessment. It is likely that a formal
recovery plan that contains all of these components will not be complete
before the present round of subbasin plans are complete. Therefore, we
envision a phasing in process where NMFS will treat subbasin plans
developed in the present round of planning like interim local recovery
plans while formal ESU- scale recovery plans are being completed.
When formal ESU- scale recovery plans are complete, they may identify some
adjustments that are needed to local recovery plans. These adjustments
could occur as a result of ESU- scale considerations relevant to the
populations or as a result of new data from research and monitoring.
Unless there is new information that compels an immediate adjustment, NMFS
would expect any adjustments to be made in the subsequent round of the
Council's subbasin planning.
NMFS strongly encourages the Council and subbasin planners to develop
subbasin plans that can be the local recovery plan chapters in an ESU-wide
recovery plan. NMFS has worked closely with the Council in its
development of the Technical Guide and in its development of the budget
and infrastructure for subbasin planning. Subbasin plans that are
developed according to this guidance and that address NMFS? ESA legal
requirements for recovery plans will be treated by NMFS as interim local
recovery plans. In the enclosure, we enumerate guidelines for local
recovery plans that are organized according to the Council's Technical
Guide. This organization demonstrates that there is good potential
for subbasin plans to meet many needs for local recovery plans in the
present round of subbasin planning. NMFS has noted a few instances
in the guidelines where they go beyond the Council's Technical
guide. These instances result from NMFS? specific ESA legal
obligations that are articulated in the statute and in case law.
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Q: What elements do subbasin plans need to
have to be part of a recovery plan adopted by NMFS?
A: The closer that a subbasin plan comes to addressing the
guidelines in enclosure 1, the more likely that NMFS can adopt it as the
local recovery plan for that area.
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Q: What is needed beyond the Council's Fish
and Wildlife Program for a local recovery plan?
A: A local recovery plan needs to piece together all programs
that influence the recovery of listed salmon in the area. While the
Council's authority is to implement only BPA's program, their subbasin
planning initiative creates a key opportunity to coordinate with other
essential programs. State, tribal and local governments, federal land
managers and other federal agencies have the authority and responsibility
to regulate land and water management and to implement key conservation
programs. These programs should be integrated through key components such
as assessments, data, goals, priorities, schedules and
monitoring. These are the components that we must have coordinated
in order to be accountable and in order to know whether we are succeeding
in recovery - what is working, what is not, and what has not been done.
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Q: Who should do recovery plans?
A: In its ?Recovery Guidance for West Coast Salmon,? NMFS
described a recovery planning process with two phases. Phase one
entails objective; science- based products (population definition,
viability criteria, ESU-wide population scenarios, habitat
characterization, factors for decline/limiting factors review and
research, monitoring and evaluation advice); Phase two entails the
planning and policy phase to develop broader sense recovery goals and to
develop actions to meet the goals.
While NMFS is ultimately responsible for approving and adopting
recovery plans, we believe that ESU-scale recovery plans, like subbasin
plans, will most likely be successful if they are developed in partnership
with those with the interest, responsibility and authority to implement
the needed actions. NMFS is interested in working with local
entities that take the lead in coordinating the development of recovery
plans at the ESU scale. This would work best with entities that will
also be coordinating subbasin plans and have the ability to integrate
subbasin plans to the ESU level. NMFS would work closely with these
entities to provide the highest possible likelihood of success. It
is worth noting that this coordination needs to occur across land
ownerships and across programs. For example, federal land managers, tribes
and local governments all need to be key players in recovery planning.
Where ESUs, spawn within the boundaries of more than one state, a forum to
coordinate the multiple states will also be necessary.
In coordination with the Council, NMFS is having discussions with
members of existing organizations such as Washington's Lower and Upper
Columbia River Fish Recovery Boards, the Willamette/Lower Columbia ESA
Executive Committee, and with the state governors? offices and tribes
and other federal agencies regarding the means for implementing Phase two
of ESU-level recovery plans. It is crucial that Phase two builds
upon local efforts, including subbasin planning, that are already
underway.
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Q: What is the role of federal lands in
subbasin planning?
A: Federal lands comprise over 60 percent of currently
accessible spawning and rearing habitat for listed species in the Columbia
Basin. The habitat strategy in FCRPS Biop and in The Conservation of
Columbia Basin Fish, Final Basinwide Salmon Recovery Strategy (All H
paper) are premised on a close linkage between federal and non-federal
habitat efforts and on the assumption that federal lands have the
potential to provide a strong foundation for salmon recovery.
Furthermore, for recovery to be measurable and accountable, federal and
non-federal lands need to share integrated goals, data, assessments,
priorities, funding strategies, and monitoring programs. NMFS is
presently exploring the relationship between these needs and the federal
land managers? land management plans and section 7 consultations.
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Q: What if subbasin plans address only habitat
restoration actions and not the full suite of subbasin recovery plan
elements?
A: Habitat restoration actions are necessary but not alone
sufficient for a local recovery plan. Protection of existing productive
and potentially productive habitats and the ecosystem processes that form
those habitats is also essential because it is unlikely that the value of
restoration can be realized and accounted for if the habitat continues to
degrade. It is crucial that restoration actions are determined based
on a sound science based assessment and a good understanding of management
and protection programs. Without this context, it will be difficult to
determine the value of the restoration actions to the listed species.
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Q: What assessments and plans need to be
complete for a subbasin plan/ local recovery plan?
A: As required by the Council's program, technically sound
subbasin-level assessments need to be complete before credible
subbasin-level management plans can be developed. Also, as described
earlier, assessments and plans should address the scale of the population
or some analogous spatial scale.
One of the components in subbasin assessments and plans should be the
identification of priority watersheds at finer scales (e.g. 6th
field HUCs) for further assessment, planning, and action. In some
cases, finer-scale assessments and plans may already be available and they
should be used. In cases where finer scale watersheds that may be
protection and restoration priorities do not have assessments and plans,
those watersheds should be targeted for funding in the Council's next
funding cycle and in other state and federal watershed plan programs.
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Q: What is the relationship between subbasin
assessments and the work of the TRTs?
A: The TRTs are responsible for recommending to NMFS viability
criteria that will be the foundation of biological delisting
criteria. NMFS also has charged the TRTs with developing
relationships between habitat characteristics and population productivity
and with providing specific advice about limiting factors. There is
obvious overlap between the TRT responsibilities and the requirements for
subbasin assessments. NMFS worked closely with the Council in the
Technical Guide's development to ensure this overlap. There should
be efficiencies from fully coordinating and making consistent the TRT
products and subbasin assessments.
It is crucial that the TRTs have early and continued involvement in
subbasin assessments. The TRTs can assist and work with local
technical and regional experts to: (a) define the specific relationships
between habitat and population productivity; (b) develop and refine
assumptions that are used consistently in developing recovery goals and
assessments; c) obtain consensus on key data gaps and monitoring
priorities; (d) define working hypotheses; (e) work together on limiting
factor analyses; and (f) clarify the technical products needed for ESA
purposes. NMFS believes that the regional and statewide technical
teams, identified in the Council's February 25, 2002 subbasin plan
funding decision documents, should be established immediately. These
teams would be effective forums for coordinating the needs described
above.
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Q: What is the relationship between subbasin
planners and the TRT?
A: NMFS envisions that the TRTs will provide technical support
to subbasin planning as described above. Also, the biological
delisting criteria that the TRT recommends to NMFS should provide a
foundation for the development of broad sense recovery goals that go
beyond viability.
The TRTs should also provide technical support to subbasin planners by
providing technical input to and review of the suites of strategies or
actions as they are developed for subbasin plans.
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Q: Can NMFS provide ESA assurances for
subbasin planning?
A: NMFS will work through subbasin planning to provide ESA
assurances for the actions anticipated through the plan. We will
take a flexible approach to address the range of actors and actions
encompassed in a plan. NMFS can provide assurances through one or a
combination of ESA tools. First, NMFS would like to adopt subbasin
plans as local recovery plans. This would ensure subbasin plan
participants that they are implementing what is needed to recover the
ESU. Also, actions described in a subbasin plan may be eligible for
protection from incidental take violations if they are described in
sufficient detail, are adequate to provide for the biological requirements
of the population and ESU, and their implementation is assured. If
there is a federal connection, NMFS can issue an ?incidental take
statement? to the federal agency following a section 7
consultation. The incidental take statement can cover the actions of
local governments, tribes, or private actors who are authorized or funded
by or managed in concert with the federal agency. NMFS may also
consider appropriate parts of the subbasin plan for treatment as a ?habitat
conservation plan? or HCP under section 10 of the ESA. If the
subbasin plan meets the requirements of section 10, NMFS may then issue an
incidental take permit to local governments, tribes or private
actors. Finally, subbasin plans should also provide context for
entities developing programs for approval under some of the ?4(d) rule's?
limited take prohibitions promulgated by NMFS in July 2000 (65 Fed Reg.
42422, July 10, 2000). For example, the limits covering Hatchery and
Genetics Management Plans and Municipal, Residential, Commercial, and
Industrial Development and Redevelopment and restoration actions could
easily give rise to programs that become components of subbasin plans.
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Q: How will subbasin plans affect the
discharge of other NMFS ESA responsibilities?
A: Done right, subbasin planning should provide the context for
all other ESA decisions in the area. For example, if a
subbasin plan identified a particular area as high quality habitat
targeted for protection, NMFS would consider that advice when faced with a
proposed federal action that would decrease the value of that
habitat. Also, NMFS intends to make recovery and subbasin goals,
assessments, strategies, actions, and monitoring requirements paramount
considerations when discharging our ESA responsibilities in section 7
consultations, section 10 habitat conservation plans, and 4d rule limits.
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