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US - Critical Habitat - Endangered and Threatened Wildlife and Plants; Final Rule To Designate Critical Habitat for the Buena Vi

Summary: <p> The U.S. Fish and Wildlife Service (Service), designated critical habitat for the Buena Vista Lake shrew (Sorex ornatus relictus) (referred to here as the shrew) pursuant to the Endangered Species Act of 1973, as amended (Act). In total, approximately 84 acres (ac) (34 hectares (ha)) occur within the boundaries of the critical habitat designation. The critical habitat is located in the Central Valley floor of Kern County, California. </p>

The U.S. Fish and Wildlife Service (Service), designated critical habitat for the Buena Vista Lake shrew (Sorex ornatus relictus) (referred to here as the shrew) pursuant to the Endangered Species Act of 1973, as amended (Act). In total, approximately 84 acres (ac) (34 hectares (ha)) occur within the boundaries of the critical habitat designation. The critical habitat is located in the Central Valley floor of Kern County, California.

US - Critical Habitat Listing for the Arroyo Toad

Summary: <span> This rule designates 11,695 acres of critical habitat for the arroyo toad in </span> <span> Santa Barbara </span> <span> , </span> <span> Ventura </span> <span> , </span> <span> Los Angeles </span> <span> , </span> <span> San Bernardino </span> <span> and Riverside counties in </span> <span> California </span> <span> . <span> &nbsp; </span> FWS had to designate critical habitat for the arroyo toad as a result of a settlement agreement in <i> Center for Biological Diversity v. United States Fish and Wildlife Service </i> . <span> &nbsp; </span> The critical habitat was designated in accordance with the Endangered Species Act of 1973 and its amendments. <span> &nbsp; </span> This specific critical habitat is a revision of the final rule on arroyo toad critical habitat designation of 2/1/01 ( <u> 69 FR 9414 </u> ), which was deemed deficient and was overruled. <span> &nbsp; </span> </span>

This rule designates 11,695 acres of critical habitat for the arroyo toad in Santa Barbara , Ventura , Los Angeles , San Bernardino and Riverside counties in California .   FWS had to designate critical habitat for the arroyo toad as a result of a settlement agreement in Center for Biological Diversity v. United States Fish and Wildlife Service .   The critical habitat was designated in accordance with the Endangered Species Act of 1973 and its amendments.   This specific critical habitat is a revision of the final rule on arroyo toad critical habitat designation of 2/1/01 ( 69 FR 9414 ), which was deemed deficient and was overruled.  

US - Critical Habitat - Endangered and Threatened Wildlife and Plants; Designation of Critical Habitat for the Riverside Fairy S

Summary: <p> FWS has designated critical habitat pursuant to section 3 of the Endangered Species Act (ESA) for the federally endangered riverside fairy shrimp that encompasses 306 miles within Ventura, Orange, and San Diego Counties in California. <span> &nbsp; </span> The riverside fairy shrimp is a freshwater crustacean that is found in vernal pools (a shallow depression that fills with rainwater and does not drain into the lower drainage section) in the coastal California area. <span> &nbsp; </span> The shrimp is the second most primitive living crustacean and is the most recently discovered crustacean in California. </p>

FWS has designated critical habitat pursuant to section 3 of the Endangered Species Act (ESA) for the federally endangered riverside fairy shrimp that encompasses 306 miles within Ventura, Orange, and San Diego Counties in California.   The riverside fairy shrimp is a freshwater crustacean that is found in vernal pools (a shallow depression that fills with rainwater and does not drain into the lower drainage section) in the coastal California area.   The shrimp is the second most primitive living crustacean and is the most recently discovered crustacean in California.

US - Marine Mammals - Endangered Fish and Wildlife; Notice of Intent to Prepare an Environmental Impact Statement

Summary: <p> NMFS will be preparing an EIS to analyze the potential impacts of applying new criteria in guidelines to determine what constitutes a ``take'' of a marine mammal under the Marine Mammal Protection Act (MMPA) and Endangered Species Act (ESA) as a result of exposure to anthropogenic noise in the marine environment. This notice describes the proposed action and possible alternatives and also describes the proposed scoping process. </p>

NMFS will be preparing an EIS to analyze the potential impacts of applying new criteria in guidelines to determine what constitutes a ``take'' of a marine mammal under the Marine Mammal Protection Act (MMPA) and Endangered Species Act (ESA) as a result of exposure to anthropogenic noise in the marine environment. This notice describes the proposed action and possible alternatives and also describes the proposed scoping process.

US - Critical Habitat - Endangered and Threatened Wildlife and Plants; Establishment of a Nonessential Experimental Population f

Summary: <p> This final rule is a collaborative effort between the FWS and the states of Tennessee and Alabama and Conservation Fisheries, Inc. to reintroduce the boulder darter <span> ( </span> <i> Etheostoma wapiti </i> <span> ) </span> , an endangered fish, and the spotfin chub <span> ( <i> Cyprinella </i> (= <i> Hybopsis </i> ) <i> monacha </i> ) </span> , a threatened fish to its historical habitat in Lauderdale County Alabama and Lawrence County, Tennessee. <span> &nbsp; </span> This rule provides for Non-essential Experimental Populations (NEP) within the designated area and it establishes limited allowable legal takings in that area. <span> &nbsp; </span> Additionally, this rule also changes the scientific name of the spotfin chub from <i> Cyprinella </i> (= <i> Hybopsis </i> ) <i> monacha </i> to <i> Erimonax monachus </i> , to reflect a recent change in the scientific literature. </p>

This final rule is a collaborative effort between the FWS and the states of Tennessee and Alabama and Conservation Fisheries, Inc. to reintroduce the boulder darter ( Etheostoma wapiti ) , an endangered fish, and the spotfin chub ( Cyprinella (= Hybopsis ) monacha ) , a threatened fish to its historical habitat in Lauderdale County Alabama and Lawrence County, Tennessee.   This rule provides for Non-essential Experimental Populations (NEP) within the designated area and it establishes limited allowable legal takings in that area.   Additionally, this rule also changes the scientific name of the spotfin chub from Cyprinella (= Hybopsis ) monacha to Erimonax monachus , to reflect a recent change in the scientific literature.

US - Critical Habitat - Critical Habitat Listing for the Topeka Shiner

Summary: <p> <span> This rule is a correction to a previous final rule designating critical habitat for the Topeka Shiner ( <i> Notropis Topeka </i> ), published in the Federal Register on July, 24, 2004 <span style="text-decoration: underline;"> (69 FR 44736). </span> <span> &nbsp; </span> In the previous final rule, the FWS </span> designated as <span> <span> critical habitat </span> </span> 1,356 kilometers of stream in Iowa, Minnesota, and Nebraska. <span> &nbsp; </span> They excluded from designation all previously proposed <span> <span> critical habitat </span> </span> in Kansas, Missouri, and South Dakota, and excluded the Fort Riley Military Installation in Kansas from <span> <span> critical </span> </span> <span> <span> habitat designation </span> </span> . </p>

This rule is a correction to a previous final rule designating critical habitat for the Topeka Shiner ( Notropis Topeka ), published in the Federal Register on July, 24, 2004 (69 FR 44736).   In the previous final rule, the FWS designated as critical habitat 1,356 kilometers of stream in Iowa, Minnesota, and Nebraska.   They excluded from designation all previously proposed critical habitat in Kansas, Missouri, and South Dakota, and excluded the Fort Riley Military Installation in Kansas from critical habitat designation .

US - Wolf - Regulation for Nonessential Experimental Populations of the Western Distinct Population Segment of the Gray Wolf; Fi

Summary: <p> We, the U.S. Fish and Wildlife Service (Service) establish a rule for the nonessential experimental populations (NEPs) of the Western Distinct Population Segment (DPS) of the gray wolf (Canis lupus), so that in States and on Tribal reservations with Service-approved wolf management plans, we can better address the concerns of affected landowners and the impacts of a biologically recovered wolf population. In addition, States and Tribes with Service accepted wolf management plans can petition the Service for lead management authority for experimental wolves consistent with this rule. </p>

We, the U.S. Fish and Wildlife Service (Service) establish a rule for the nonessential experimental populations (NEPs) of the Western Distinct Population Segment (DPS) of the gray wolf (Canis lupus), so that in States and on Tribal reservations with Service-approved wolf management plans, we can better address the concerns of affected landowners and the impacts of a biologically recovered wolf population. In addition, States and Tribes with Service accepted wolf management plans can petition the Service for lead management authority for experimental wolves consistent with this rule.

US - Migratory Birds - Final List of Bird Species to Which the Migratory Bird Treaty Act Does Not Apply

Summary: <p> We are publishing a final list of the nonnative bird species that have been introduced by humans into the United States or its territories and to which the Migratory Bird Treaty Act (MBTA) does not apply. This action is required by the Migratory Bird Treaty Reform Act (MBTRA) of 2004. The MBTRA amends the MBTA by stating that it applies only to migratory bird species that are native to the United States or its territories, and that a native migratory bird is one that is present as a result of natural biological or ecological processes. This notice identifies those species that are not protected by the MBTA, even though they belong to biological families referred to in treaties that the MBTA implements, as their presence in the United States and its territories is solely the result of intentional or unintentional human-assisted introductions. </p>

We are publishing a final list of the nonnative bird species that have been introduced by humans into the United States or its territories and to which the Migratory Bird Treaty Act (MBTA) does not apply. This action is required by the Migratory Bird Treaty Reform Act (MBTRA) of 2004. The MBTRA amends the MBTA by stating that it applies only to migratory bird species that are native to the United States or its territories, and that a native migratory bird is one that is present as a result of natural biological or ecological processes. This notice identifies those species that are not protected by the MBTA, even though they belong to biological families referred to in treaties that the MBTA implements, as their presence in the United States and its territories is solely the result of intentional or unintentional human-assisted introductions.

US - Endangered Species - 50 CFR Part 17. Endangered and Threatened Wildlife and Plants; Mariana Fruit Bat (Pteropus mariannus m

Summary: <p> This final rule downgrades the Mariana fruit bat from endangered to threatened throughout its range in the Mariana archipelago, which is subject to US jurisdiction. <span> &nbsp; </span> The reason for the down grade is the FWS initially made a mistake in the taxonomy of the Mariana fruit bat. <span> &nbsp; </span> When the FWS listed the bat as endangered on Guam in 1984, it believed that the bat was a species only endemic to Guam. <span> &nbsp; </span> Since that time, the FWS has discovered that the bat is endemic to the entire Commonwealth of the Northern Mariana Islands (CNMI) and the Territory of Guam, thus there is actually a larger number of bats with a wider distribution. <span> &nbsp; </span> Yet, threats to the Mariana fruit bat still remain, so its listing as threatened is still warranted. <span> &nbsp; </span> Additionally, it is more convenient for the FWS to update the listing of the Mariana fruit bat to threatened in the entire Mariana archipelago, than to keep the species in the Guam as endangered and hold the remainder of the archipelago as threatened. </p>

This final rule downgrades the Mariana fruit bat from endangered to threatened throughout its range in the Mariana archipelago, which is subject to US jurisdiction.   The reason for the down grade is the FWS initially made a mistake in the taxonomy of the Mariana fruit bat.   When the FWS listed the bat as endangered on Guam in 1984, it believed that the bat was a species only endemic to Guam.   Since that time, the FWS has discovered that the bat is endemic to the entire Commonwealth of the Northern Mariana Islands (CNMI) and the Territory of Guam, thus there is actually a larger number of bats with a wider distribution.   Yet, threats to the Mariana fruit bat still remain, so its listing as threatened is still warranted.   Additionally, it is more convenient for the FWS to update the listing of the Mariana fruit bat to threatened in the entire Mariana archipelago, than to keep the species in the Guam as endangered and hold the remainder of the archipelago as threatened.

US - Whales - Whaling Provisions: Aboriginal Subsistence Whaling Quotas

Summary: <p> NMFS announces the aboriginal subsistence whaling quota for bowhead whales, and other limitations deriving from regulations adopted at the 2002 Special Meeting of the International Whaling Commission (IWC). For 2004, the quota is 75 bowhead whales struck. This quota and other limitations will govern the harvest of bowhead whales by members of the Alaska Eskimo Whaling Commission (AEWC). </p>

NMFS announces the aboriginal subsistence whaling quota for bowhead whales, and other limitations deriving from regulations adopted at the 2002 Special Meeting of the International Whaling Commission (IWC). For 2004, the quota is 75 bowhead whales struck. This quota and other limitations will govern the harvest of bowhead whales by members of the Alaska Eskimo Whaling Commission (AEWC).

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