ECOLOG members,

I am sharing a letter with you on behalf of a colleague of mine at the
Center for Biological Diversity (CBD).  This letter encourages ecologists to
participate in an open request for comments from the USFWS and NMFS about
proposed revisions to the Endangered Species Act. Please direct your
questions to CBD's Noah Greenwald - his contact information is at the end of
this email.

Kim Landsbergen Ph.D., Certified Senior Ecologist
  Associate Professor, Columbus College of Art & Design
  Visiting Research Scholar, EEOB, The Ohio State University
  CarbonEcology Consulting LLC, Owner

e: kim.landsbergen at gmail dot com
p: 01-614-795-6003
- - - - - - - - - -
 

Dear Scientists,

 

The U.S. Fish and Wildlife Service and National Marine Fisheries Service are
currently accepting comments on a draft policy that interprets the phrase
“significant portion of its range” (“SPOIR”) in the Endangered Species Act.
 The Act defines an endangered species as “any species which is in danger of
extinction throughout all or a significant portion of its range” and a
threatened species as “any species which is likely to become an endangered
species within the foreseeable future throughout all or a significant
portion of its range.”  These definitions make clear that a species need not
be at risk of worldwide extinction to qualify for Endangered Species Act
protection.  Rather, as noted in the draft policy, a species would qualify
as an endangered species if it is in danger of extinction “throughout all of
its range,” or if it is in danger of extinction “in a significant portion of
its range.”[1]  As such, this provision provides a means to protect species
before they are on the brink of extinction and is thus of tantamount
importance to species conservation.

 

Unfortunately, the draft policy includes two provisions that were first
proposed under the Bush administration and have the effect of sharply
limiting the circumstances under which species will be protected because
they are in trouble in portions of their range.  First, the draft policy
specifies that a “portion of the range of a species is ‘significant’ if its
contribution to the viability of the species is so important that without
that portion, the species would be in danger of extinction.”  This is a
distinction without a difference and as a result overly restrictive.  In
effect, any species that would qualify for protection because it is
endangered in a SPOIR, would qualify for protection anyway because it is
endangered in all of its range.  This approach will result in species that
are severely endangered in portions of their range being denied protection
because they are secure in some portion of their range even if that portion
is just a fraction. 

 

This reasoning has already resulted in denial of protection for the cactus
ferruginous pygmy-owl, which is undeniably endangered in the Sonoran Desert
in Arizona and New Mexico, but arguably common further south in Mexico in
different habitats.  Fish and Wildlife denied protection despite recognizing
that “the Sonoran Desert Ecoregion represents an important portion of the
Western DPS, and of the taxon as a whole,” and that the birds found here
were adapted to a drier warmer climate, so may be better adapted to a
warming world.   Another example of a species that may very well get denied
protection under this policy is the little brown bat, which has undergone
severe declines across the northeastern U.S. because of white-nose syndrome,
but still remains common where the disease has not yet reached.  The policy
simply does not allow them to protect a species even if it has undergone
severe declines across a large area. 

 

The second problem with the policy is that it specifies that historic range
cannot be considered when determining if a species is threatened or
endangered in a SPOIR.  This amounts to a shifting baseline whereby recent
losses of a species can be effectively ignored.  A recent example of a
species that was denied protection by ignoring historic range is the plains
bison, which as I’m sure most of you are aware has lost more than 99% of its
range.  FWS concluded that roughly 50 conservation herds amounting to
roughly 20,000 animals was sufficient to secure the species despite the fact
that many of these herds are suffering from hybridization with cattle and
increasing domestication and only occupy a small fraction of those areas
that could support bison. 

 

Please consider signing onto a letter expressing concern about these
provisions.  The letter, the draft policy itself and further information can
all be viewed here:

 

http://action.biologicaldiversity.org/p/salsa/web/common/public/content?content_item_KEY=10927

 

The letter does not argue that anytime a species has lost range it should be
protected or that species must be recovered to their entire historic range,
but rather that lost historic range should be considered to determine if it
is significant.  It further argues that a range of factors should be used to
determine significance, including whether the portion supports unique
habitats or adaptations for the species, whether its loss would result in a
significant gap in the species’ range and others. 

 

Thank-you for your consideration and please do not hesitate to contact me if
you have questions,

 

Noah

 

 

Noah Greenwald M.S.

Endangered Species Program Director

Center for Biological Diversity

PO Box 11374

Portland, OR  97211

503-484-7495

 

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