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Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 1 November 13, 2013 Public Comments Processing Attn: USFWS–R2–ES–2013–0056 Division of Policy and Directives Management U.S. Fish and Wildlife Service 4401 N Fairfax Drive, MS 2042–PDM Arlington, VA 22203 Subject: Apache County comments on Proposed Revision to the Nonessential Experimental Population of the Mexican Wolf, USFWS–R2–ES–2013–0056 Apache County, Arizona appreciates the opportunity to submit comments and information concerning the proposal to revise the existing nonessential experimental population designation of the Mexican wolf (Canis lupus baileyi) under section 10(j) of the Endangered Species Act of 1973, as amended, and as published in the Federal Register /Vol. 78, No. 114 /Thursday, June 13, 2013 / Proposed Rules pp 35719-35742. Apache County is uniquely affected by the Proposed Action to revise the section 10(j) rule, since a large part of the proposed revised Blue Range Wolf Recovery Area (BRWRA) and Mexican Wolf Experimental Population Area (MWEPA) would be located within Apache and Greenlee Counties in Arizona and neighboring Catron County in New Mexico. Thus Apache County, along with its sister counties at the heart of the proposed revised geographic boundaries, would experience the greatest impacts of the proposed action. The local citizens of Apache and the other named counties have had to bear the burden of the impacts of Mexican wolf reintroduction since its inception fifteen years ago. These citizens, who have dealt with and experienced the adverse impacts first-hand, are well aware of the reality of the on-the-ground activities that affect their daily lives. The voices of affected local citizens and of the county governments that represent them have thus far been mostly ignored, whereas their experiences should be made part of the record in order to provide guidance when making any changes to the operating procedures of the recovery program. It is local government responsibility to protect the health, safety and welfare of its citizens. This includes protecting local citizens from the adverse societal and economic impacts of federal actions. Since the element of the human dimension is not adequately addressed by the US Fish and Wildlife Service (USFWS) and other federal agencies, it is imperative that local governments take action to address the wellbeing and interests of the local citizen. We submit these comments because it is important for the U.S. Fish and Wildlife Service (USFWS) to recognize and openly disclose the impacts on the health, safety and welfare of the citizens who are directly impacted by USFWS actions. While the Endangered Species Act directs the USFWS and other federal agencies to conserve endangered and threatened species and the habitats they depend upon, the National Environment Policy Act (NEPA) also requires the agencies to honestly and openly disclose adverse as well as beneficial effects of agency actions on the human environment. Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 2 Numerous other federal laws contain language that requires the USFWS to involve and work in a cooperative manner with local governments and therefore with the local and directly impacted citizens. A federal/local government working relationship that is based upon mutual respect would add a level of protection for the health safety and welfare of the public that is very much lacking in the current actions of the USFWS. Such a working relationship would also improve the chances for success in implementation and adaptive management of USFWS efforts regarding endangered and threatened species. This proposed rule deals with actions that are also being analyzed in an EIS, for which Apache County has already submitted comments. These comments focus on the potential adverse impacts to local citizens of the proposed changes to the Nonessential Experimental Population Rule (Proposed Changed 10(j) Rule). Table of Contents Issue: Fatal flaw - USFWS has failed to demonstrate that the 10(j) rule serves any purpose ....... 3 Issue: USFWS has failed to comply with federal law, regulation and Presidential Executive Orders .............................................................................................................................................. 4 Issue: USFWS has failed to comply with Executive Order 12866 requiring understandable documents ....................................................................................................................................... 5 Issue: USFWS has failed to provide required NEPA analyses ...................................................... 6 Issue: The USFWS has failed to provide evidence that the 10(j) rule is applicable to a population of gray wolves ................................................................................................................................. 9 Issue: USFWS has failed to provide sufficient evidence of need to change the 10(j) rule due to change of designation ................................................................................................................... 10 Issue: USFWS has failed to propose changes to the 10(j) rule that are significantly different from current management practices .............................................................................................. 10 Issue: USFWS has failed to demonstrate that the Mexican wolf could naturally establish a viable self-sustaining population without human support ....................................................................... 11 Issue: USFWS has failed to disclose any analysis of full impacts of habituation ....................... 12 Issue: USFWS has failed to address direct, indirect and cumulative impacts to the human environment .................................................................................................................................. 14 Issue: USFWS has misused public funding for outreach activities ............................................. 15 Issue: USFWS has failed to address all potential adverse impacts .............................................. 17 Determination of Suitable Natural Habitat ............................................................................... 17 Factual Omissions ..................................................................................................................... 18 Taking of Private Property ........................................................................................................ 20 Considering State Owned/Managed Land the Same as Federal Lands .................................... 21 Additional Indirect Adverse Impacts Not Clearly Addressed ...................................................... 22 Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 3 Domestic Dogs and Mexican gray wolf interbreeding ............................................................ 22 Release and Management of Wolf Hybrids .............................................................................. 23 Analysis of Mexican gray wolf Prey Base ................................................................................ 24 Impact on existing predator population .................................................................................... 25 Sustainability of Mexican wolf prey base including human needs........................................... 25 Wolf Prey in Urban Areas......................................................................................................... 26 CONCLUSION: ............................................................................................................................ 26 Issue: Fatal flaw - USFWS has failed to demonstrate that the 10(j) rule serves any purpose Reference: Endangered Species Act (ESA), Section 10, Exceptions, subsection (a), “for scientific purposes or to enhance the propagation or survival of the affected species, including, but not limited to, acts necessary for the establishment and maintenance of experimental populations pursuant to subsection (j)” Discussion: According to the ESA , the purpose of an experimental population is for scientific purposes or to enhance the propagation or survival of the species. Nowhere in the proposed 10(j) rule revision has evaluation of the effectiveness of use of the 10(j) rule to achieve ESA purposes for the Mexican wolf subspecies been addressed. The whole revision proposal is in fact based on an assumption that the 10(j) approach is useful for something; however what that might be, or whether there is any point to it at all, is not discussed. In other words, what exactly is the scientific purpose for use of the 10(j) rule with respect to the Mexican wolf? If there is no scientific purpose, then how exactly does the use of a10(j) rule enhance the propagation or survival of the species, and why would the use of a 10(j) rule do so better than would, for example, hunting restrictions? This is a fatal flaw in any USFWS actions, past or proposed, with respect to the Mexican wolf. It is a matter of common sense and best science practice, not to mention the legal responsibility of any federal agency, to examine the usefulness of continuing a costly, controversial and arguably failed experiment in endangered species population management after fifteen years. Without such an evaluation by the agency itself, and disclosure of results, the public cannot begin to address the proposed revision of the 10(j) rule. Recommendation: Withdraw all proposed rule changes associated with the Mexican wolf until an agency evaluation of the effectiveness of the past fifteen years’ management actions has been performed and disclosed to the public, and the public has the opportunity to analyze, evaluate and comment on the value of the 10(j) approach to species survival. Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 4 Issue: USFWS has failed to comply with federal law, regulation and Presidential Executive Orders Reference: Page 35737 column 1, “Takings—Executive Order 12630 In accordance with Executive Order 12630 (Government Actions and Interference with Constitutionally Protected Private Property Rights), this rule does not have significant takings Implications.” And Endangered Species Act, 10j Rule,1764 Federal Register/ Vol. 63, No. 7/ Monday, January 12, 1998/ Rules and Regulations PART 17—[AMENDED 17.84 Special rules—vertebrates (xiii) (6) No land use restrictions will be imposed on private lands for Mexican wolf recovery without the concurrence of the landowner. [Emphasis added]. Discussion: On March 22, 1988, President Reagan signed into law Presidential Executive Order 12630 (E.O. 12630). That Executive Order, which has not been altered or reversed, required all federal agencies to analyze the effects or potential effects of their actions, decisions or regulations on the economic value or use of private property through the completion of a takings implications assessment (TIA). As stated by Executive Order 12630: The Fifth Amendment of the United States Constitution provides that private property shall not be taken for public use without just compensation . . . . Recent Supreme Court decisions, however, in reaffirming the fundamental protection of private property rights provided by the Fifth Amendment and in assessing the nature of governmental actions that have an impact on Constitutionally protected private property rights, have also reaffirmed that governmental actions that do not formally invoke the condemnation power, including regulations, may result in a taking for which just compensation is required. E.O. 12630. [Emphasis added]. In this case, it is clear that USFWS management of the Mexican wolf under the Endangered Species Act (ESA) has resulted in and will continue to result in the taking of private property. Such takings will include the Mexican wolf’s killing of livestock and family pets; the loss or potential loss of the use of federal land grazing permits and leases due to the presence of wolves; the loss of the use of private property (particularly that private land inholdings located within federal grazing allotments); the loss of water rights associated with private lands; and, the loss in value (economic backed-expectations) of area ranches. Given these losses, a TIA must be completed before a final decision is made regarding the proposed 10(j) rule. Although the USFWS may try to argue that Department of the Interior (DOI) guidelines exclude the requirement for completion of a TIA related to decisions under the Endangered Species Act, that argument is flawed. The DOI guidelines exempt the requirement for completion of a TIA only in those cases related to the listing of threatened or endangered species or the issuance of biological opinions where the listing or opinion either solely governs the use of federal lands, or proposes alternatives that have been accepted by the private property owner. In the case this proposed rule USFWS decision is related to management of the Mexican wolf species pursuant to section 10(j) of the ESA rather than the use of lands; thus the decision falls outside of the DOI guidelines and a TIA must be completed. Mexican wolf recovery has caused significant loss of private property, loss of fair compensation, and private property takings of small family ranchers. Although Executive Order 12630 does not stop federal agencies from “taking” or impacting the value of private property, E.O. 12630 does Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 5 require that agency decision makers consider the takings implications of their actions on private property rights and place a monetary value on those implications before a final decision is made. Completion of a TIA in this case will ensure that the USFWS and the public are fully informed of all of the implications of decisions regarding the Mexican wolf. USFWS would be in error to not complete and disclose a TIA until a final rule that would be published in the Federal Register. Rather, USFWS should prepare a TIA whenever there are takings implications presented by formulating or implementing policies. Presidential Executive Order 12630 (53 Fed. Reg. 8859) defines “policies that have takings implications” to include: “Federal regulations, proposed Federal regulations, proposed Federal legislation, comments on proposed Federal legislation, or other Federal policy statements that, if implemented or enacted, could affect a taking”. Three family- run ranchers in the Blue Range Wolf Recovery Area that have been impacted by the Mexican wolf program submitted Takings Implications (TIA) requests to USFWS, pursuant to Presidential Executive Order 12630. These TIA requests were denied. All three of the ranch families who requested TIAs subsequently went out of the ranching businesses directly due to wolf depredation on their cattle. The destruction of these three family businesses could have been avoided if USFWS had conducted the necessary Takings Implication Assessment and made decisions based on the results of that TIA. The completion of a TIA would have alerted USFWS to the potential for significant loss of property by the proposed introduction of an experimental nonessential population of gray wolf. While economic impacts are not considered in the listing of a species as threatened or endangered, this proposed revision by USFWS is not a listing case. Thus, economic impacts can and should be considered in the placement of an apex predator species in such close proximity to ranches, homes and small communities. USFWS failure to complete and disclose the required TIA amounts to serious misconduct through omission of records and manipulation of data. The public has a legal right to have the opportunity to fully examine the effects of USFWS actions on private property including negative economic impacts and threats to human safety, including psychological trauma due to wolf incidents. Recommendation: USFWS should withdraw the proposed revision until a Takings Implication Assessment is available to be reviewed, analyzed and commented on by the public with respect to the proposed actions. Issue: USFWS has failed to comply with Executive Order 12866 requiring understandable documents Reference: Executive Order 12866, Regulatory Planning and Review, September 30, 1993 "The American people deserve a regulatory system that works for them, not against them: a regulatory system that protects and improves their health, safety, environment and well being and improves the performance of the economy without imposing unacceptable or unreasonable costs on society; regulatory policies that recognize that the private sector and private markets are the best engine for economic growth; regulatory approaches that respect the role of State, Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 6 local, and tribal governments; and regulations that are effective, consistent, sensible, and understandable." And Section 1 (b)(12) “Each agency shall draft its regulations to be simple and easy to understand...” Discussion: Because the EIS scoping action was not the same as the comment period for this proposed 10(j) rule revision, USFWS has made it difficult for the public to analyze and comment on the proposed rule. While the 10(j) proposed rule revision comment period was extended, the EIS scoping was not. This meant that the public was forced to comment on the draft EIS before being provided with the opportunity to fully analyze the proposed changes to the 10(j) rule. Furthermore, links should be provided for documents that are pertinent to the proposed rule changes. Of the approximately 273 referenced documents, links are provided for only seven. Additionally, several references are presented in the proposed rule but are not included in the list of references and vice versa. Recommendation: Reopen the comment period for the draft EIS and for the proposed 10(j) rule revision and provide links for all references so that the two actions may be more readily analyzed by the public. Issue: USFWS has failed to provide required NEPA analyses Reference: Federal Register p 35736. At this time, we lack the available economic information necessary to provide an adequate factual basis for the required RFA finding. Therefore, we defer the RFA finding until completion of the EIS. Upon completion of a draft EIS, we will announce availability of the draft EIS in the Federal Register and reopen the public comment period for the proposed revision. Also Federal Register p 35736. If a substantial number of small entities are affected by the proposed rule, but the per-entity economic impact is not significant, the Service may certify. Likewise, if the per-entity economic impact is likely to be significant, but the number of affected entities is not substantial, the Service may also certify. In the 1998 Final Rule, we found that the nonessential population would not have significant economic impact on a substantial number of small entities under the Regulatory Flexibility Act. The 1998 Final Rule set forth management directions and provided for limited allowable legal take of Mexican wolves within the MWEPA. We concluded that the rule would not significantly change costs to industry or governments. Discussion: USFWS has presented proposed actions (i.e. EIS, 10(j) rule changes and listing designation) more or less simultaneously, yet has withheld critical analyses until a later, undisclosed date, thereby employing “piecemeal” or “segmentation” practices. It has been Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 7 determined by federal court ruling that federal agencies cannot propose actions that would individually have no significant impact but would, if taken as a whole, result in a significant impact. Apache County has addressed the issue of USFWS’s failure to include economic impact analysis in the Mexican wolf EIS (see “Issue: USFWS has failed to meet the purpose of an EIS” in Apache County comments, dated September 19, 2013). “Piecemeal” or “segmentation” practices are used to break up projects into smaller parts with less significant effects in an effort to avoid preparing a full-blown environmental impact statement (“EIS”). Alpine Lakes Protection Soc. v. Schlapfer, 518 F.2d 1089, 1090 (C.A.9 1975) states:“Characterizing any piecemeal development of a project as “ insignificant” merits close scrutiny to prevent the policies of NEPA from being nibbled away by multiple increments, no one of which may in and of itself be important enough to compel preparation of a full EIS.”. In addition to avoiding the need to prepare an EIS, segmentation practices may also reduce the scope of an EIS. Taxpayers Watchdog, Inc. v. Stanley, 819 F.2d 294, 298 (D.C. Cir. 1987). Accordingly, federal courts have developed a rule against this practice “to insure that interrelated projects the overall effect of which is environmentally significant, not be fractionalized into smaller, less significant actions.” Id. See also City of West Chicago, Ill. v. U.S. Nuclear Regulatory Com'n, 701 F.2d 632, 650 (7th Cir. 1983) The Fifth Circuit has articulated a four-part test to determine the appropriateness of segmentation, in which the court evaluates whether the segment “(1) has logical termini; (2) has substantial independent utility; (3) does not foreclose the opportunity to consider alternatives; and (4) does not irretrievably commit federal funds for closely related projects.” O'Reilly v. U.S. Army Corps of Engineers, 477 F.3d 225, 236 (5th Cir. 2007). The Tenth Circuit has cited this test for approval. Ross v. Federal Highway Administration, 162 F.3d 1046, 1050 (10th Cir. 1998) The courts have opined that a project is not properly segmented if it “has no independent utility, no life of its own, or is simply illogical when viewed in isolation.” One Thousand Friends of Iowa v. Mineta, 364 F.3d 890, 894 (8th Cir. 2004); Stewart Park and Reserve Coalition, Inc. v. Slater, 352 F.3d 545, 559 (2nd Cir. 2003) (same test). In determining the appropriate scope of an EIS, Commission on Environmental Quality regulations require the agency to “consider” connected, cumulative, and similar actions. 40 C.F.R. § 1508.25(a). USFWS has simply ignored the negative impacts to the human environment since the Mexican wolf program was first proposed. The various counties directly impacted by the Mexican wolf have made this clear from the beginning. Neighboring Catron County, NM has gone so far as to create the position of “Wolf Interaction Investigator” due to the high number of wolf/human , wolf/livestock and wolf/pet incidences that have occurred there. Post Traumatic Stress Disorder has been identified in a number of children and adults within the BRWRA. Ranchers have suffered tremendous losses and the economies of the impacted counties have been hit hard. USFWS has unfairly taken advantage of the lack of economic information for its RFA findings. The per-entity data that has been declared by USFWS to be insignificant is insignificant only in comparison to larger populations. It is not insignificant in a low-population area that is already Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 8 highly impacted by other ESA actions as well as by massive wildfires and national economic conditions. In using the segmentation approach, USFWS downplays the demonstrable significant negative impacts on small counties and small businesses (family owned ranchers). Without full analysis available at this time, the public cannot itself analyze these significant and substantial impacts that have been caused by the 10(j) rule since the initiation of the Mexican wolf reintroduction program, and that would continue to impact the public in the future. Apache County can state unequivocally that there are demonstrable significant and substantial negative impacts on small counties and small businesses (family owned ranchers) directly due to the Mexican Gray wolf program. These significant and substantial negative effects would only be increased by the implementation the 10(j) Rule without proper mitigation. The counties affected by the wolf program commented on the prospects of this occurring in the 1998 EIS and these comments were ignored. Now these significant and substantial adverse effects have occurred and continue to devastate small family ranch businesses and small county governments. USFWS cannot accurately assess or determine the significant and substantial negative effects of the proposed 10(j) rule alternatives or actions without working directly with the impacted counties and citizens. Furthermore, USFWS is required to work with the effected county governments due to the counties' fiduciary legal responsibilities to protect the health, safety and welfare of its citizens pursuant the US Constitution 10th Amendment through exercising their police powers. According to Black's Law Dictionary: [The exercise of] police powers is the authority conferred by the American constitutional system in the Tenth Amendment, US Constitution, upon the individual States, and, in turn, delegated to local government, through which they are enabled to establish...adopt laws and regulations to...secure generally the comfort, safety, morals, health, and prosperity of its citizens by preserving the public order, preventing a conflict of rights in the common intercourse of its citizens, and insuring to each an uninterrupted enjoyment of all the privileges conferred upon him or her by the general laws. Apache County fully expects USFWS to comply with these governing laws. More specifically, USFWS is expected to coordinate with the County to determine the significant and substantial adverse impacts to the health, safety and welfare to Apache County citizens, which is the jurisdictional responsibility of the County. Furthermore, Apache County requires USFWS to fully mitigate any significant and substantial adverse impacts on the County’s citizens and government. Recommendation: USFWS should withdraw the proposed revision until all analyses are available to be reviewed, analyzed and commented on by the public with respect to the proposed actions. USFWS should work with Apache County and other affected counties to obtain the missing data and to perform analysis of same. Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 9 Issue: The USFWS has failed to provide evidence that the 10(j) rule is applicable to a population of gray wolves Discussion: The concept of Mexican wolf designation as an endangered or threatened nonessential experimental population to which the 10(j) rule could apply is problematic in itself. Section 10(j)(1) states that a nonessential experimental population must be set apart and managed separately from other naturally occurring populations of endangered species in the wild. In the case of the Mexican wolf, however, there are no other populations in the wild. Unlike other ESA listed species, today’s Mexican wolves in the US Southwest are not and have never been wild animals. All Mexican wolves in the US Southwest and in captivity are descended from captive bred animals under controlled conditions, thus effectively making Mexican wolves a man-made species (or sub-species, terms which USFWS appears to use interchangeably). Mexican wolves are only endangered because the captive breeding program has not produced that many wolves, not because they are actually endangered in the wild at this time. In other words, these wolves are essentially no different from any man-created animal that has been selectively bred for human-determined traits; thus if such animals are not found in sufficient numbers for human purposes then humans should simply breed more of them. Captive-breeding does not select for the same traits as natural breeding in the wild. Allowed to breed on their own without human interference in the wild, natural circumstances would cull animals that Mexican wolf program management does not eliminate from its breeding program (as evidenced by the high number of habituated, problem wolves). Species are shaped by their environment; artificial species created in captivity (or in a laboratory) cannot be shaped by a wild environment, and it is therefore difficult to imagine that Mexican wolves could possibly ever be expected to act like true, wild animals. The Mexican wolf exists today because it was created by humans. It is an experimental nonessential species because USFWS states that these wolves need to be so designated in order to determine what they need to thrive as a species in the wild. However, the Mexican wolf as defined by USFWS’s captive breeding program isn't a naturally occurring species in the wild because the traits being bred into the experimental population are human-determined (which makes them closer to domestic animals, such as sled dogs). Furthermore, the specimens in the wild are so closely managed that natural selection has been removed from the picture. Between the management and captive breeding and because there is no other wild Mexican wolf population in the US Southwest to use as a baseline, there is no possible way to know what the Mexican wolf would need for it to survive in the wild. Thus there is no justification for applying the 10(j) rule to the Mexican wolf. The basis for the Mexican wolf program has become a case in circular logic that has nothing to do with science or an endangered, wild species (or sub-species). The issue of using the ESA to protect an artificially created species that most likely could not exist, unsupported, in the wild is a significant one that should be addressed well before worrying about how to manage such a species in the wild. Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 10 Recommendation: Rescind the proposed revision to the 10(j) rule until it has been determined that Mexican wolves qualify for protection under the Endangered Species Act, and that a 10(j) rule would actually apply to these animals. Issue: USFWS has failed to provide sufficient evidence of need to change the 10(j) rule due to change of designation Reference: Summary, p 35719. This action is being taken in coordination with our proposed rule in today’s Federal Register to list the Mexican wolf as an endangered subspecies and delist the gray wolf (Canis lupus). The proposal to list the Mexican wolf as an endangered subspecies and delist the gray wolf species necessitates that we revise the nonessential experimental population of Mexican wolf in order to correctly associate the designation with the properly listed entity. In addition, we are proposing several revisions to the section 10(j) rule. Discussion: While it could be necessary for legal reasons to restate the existing Mexican gray wolf 10(j) rule in the event that the gray wolf and Mexican wolf designations are changed, it does not follow that changing listing designation in itself provides a legal reason to revise the existing Mexican gray wolf 10(j) rule. USFWS has failed to provide sufficient legal justification for using a proposed delisting of the gray wolf and the listing of the Mexican wolf as an endangered subspecies to make numerous changes to the Mexican gray wolf 10(j) rule. Recommendation: USFWS should rescind the 10(j) rule completely, for reasons discussed elsewhere in this document. Barring this action, USFWS should provide additional evidence and legal justification for amending the 10(j) rule. Issue: USFWS has failed to propose changes to the 10(j) rule that are significantly different from current management practices Discussion: Given the high number of complaints from the affected public and local governments in the Mexican wolf reintroduction area since its inception in 1998, and the damage to local economies, customs and culture, and given the failure of the Mexican wolf to thrive in the wild on its own, it is clear that unless major adjustments to wolf management are put in place, there will be no significant changes in the Mexican wolf situation in the US Southwest. From the beginning, the Mexican wolf reintroduction effort has been declared to be a process of “adaptive management”. Adaptive management is based on a learning process that involves changing assumptions and management practices to respond to new or different information obtained through monitoring and project experience, i.e. learning by doing, and adapting the doing based on what has been learned. Best scientific practices and common sense would indicate that if a highly managed specific population of animal that is biologically capable of high reproductive rates (as evidenced by domestic dog overpopulation and by the self-sustaining reproductive rates of other wild gray wolf populations and of coyotes) nevertheless fails to maintain a self-sustaining population in a specific habitat, then something is wrong with the approach to management. To continue such Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 11 practices, particularly in a program that is supposedly engaged in adaptive management, is obviously never going to improve the results. While this point would appear to support revision of the Mexican gray wolf 10(j) rule, unfortunately it is common knowledge that most of the proposed changes to the 10(j) rule describe minor adjustments to management practices that have been already unsuccessfully employed in the past. Obviously if these practices have not worked in the past, there can be no scientific or common sense justification to propose to use them in the future, particularly if they are not significantly different, unless it is USFWS’s goal to simply provide a means to continue releasing captive-bred and captive-raised wolves into the wild, and to persist in discounting the adverse impacts of released wolves in favor of allowing them to continue their unacceptable behavior. There is no point in continuing practices that have been more than adequately demonstrated on-the-ground to not work. Recommendation: USFWS should rescind the 10(j) rule. Barring this action, USFWS should realistically assess current management practices and develop a new approach to Mexican wolf management that does not repeat the same management errors as in the past. Issue: USFWS has failed to demonstrate that the Mexican wolf could naturally establish a viable self-sustaining population without human support Reference: ESA Section 3, Section 1532 (3) , "conserve", "conserving", and "conservation" mean to use and the use of all methods and procedures which are necessary to bring any endangered species or threatened species to the point at which the measures provided pursuant to this chapter are no longer necessary. Discussion: The failure of the Mexican wolf to develop a self-sustaining population in spite of the massive reintroduction effort may indicate a more fundamental issue: Successful reintroduction of an apex predator into an environment in which it fails to survive without costly and extreme external support may be an impossible and unscientifically justifiable effort. Simply stated, the Mexican wolf may not be able to thrive in the US Southwest because the habitat is no longer capable of supporting wolves; furthermore, that habitat may, in spite of all USFWS efforts, never be capable of supporting wolves without altering the ecological conditions to such a degree as to create an artificial environment. Many species have become extinct when the populations could not adapt to changing habitat conditions that are of a global rather than local nature (e.g. climate change). Species that survive have adapted, either by permanently migrating to new habitat that is more suitable for their needs, or, adapting to the new habitat conditions through the process of genetic mutation. Human insistence on a species’ existence in a specific habitat, accompanied by creating “ideal” conditions (such as in a zoo) that can never become “no longer necessary”, is contrary to the purpose of the ESA (see above reference). While there are a few free-roaming wolves still found in the Blue Range Wolf Recovery Area (BRWRA), the current proposal has acknowledged that this program cannot sustain a viable population of wolves in the wild without continued human support and augmentation of the reintroduced wolves. All other things being equal, if a species that is being actively managed by Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 12 USFWS fails to thrive under that management then a “No Management Alternative” should be evaluated as a viable option. Recommendation: USFS should reevaluate the assumption that a Mexican wolf population could, in fact, be reestablished without continued (unending) support, and should consider a “No Management Alternative” as a realistic option based on best available science and common sense. Points to consider should include evaluation of the efficacy of: 1) continued aggressive federal monitoring and protection, 2) continued release of additional captive raised wolves to replace animals that are removed or have died for various reasons, 3) continued capture, relocation and removal of problem wolves, 4) continued feeding of existing free-roaming wolves during hard times, 5) continued depredation of livestock that also has served as a supplemental feeding program, 6) continued decline of the native deer herds which have been struggling to maintain viable populations for a long time, and 7) continued negative interactions with outdoor recreationist, which will only increase in the future. (see also Determination of Suitable Natural Habitat elsewhere in this document). Issue: USFWS has failed to disclose any analysis of full impacts of habituation Discussion: All wild animals can become habituated to humans. Habituation is a reduction of an animal's innate response to any repeated stimulus that carries no discernible negative biological consequence. Habituation can be used for studying wild animals in their natural habitat, and has been used extensively in the study of primates. However, when the animal in question has the potential to present a danger to humans, the positive habituation that leads to wildlife seeking out the presence of humans in order to benefit from food, shelter and security heightens the risk to both animals and humans. A high percentage of Mexican wolves have been in or currently live in captivity. Wild animals do not normally thrive in captivity as “wild”; they adjust (become habituated) or they die from stress. There is a risk of selecting for traits leading to domestication in the human breeding programs of wild animals; “…temperament traits are heritable, linked to fitness and potentially subject to intense selection in captivity. Natural, sexual and artificial selection can cause permanent shifts in temperament, reducing the diversity of temperament traits, diversity that may be critical to reintroduction success.” 1 The natural predatory aggressiveness of an apex predator does not lend itself to captivity2. USFWS has failed to disclose any analysis or conclusions regarding the tendency towards domestication that could occur through captive wolves’ development of habituation based on positive associations with being fed, or the non-negative 1 McDougall, P.T, Réale, D., Sol, D., Reader, S.M., Wildlife conservation and animal temperament: causes and consequences of evolutionary change for captive, reintroduced, and wild populations. Animal Conservation Volume 9, Issue 1, pages 39–48, February 2006. Article first published online: 5 DEC 2005 http://onlinelibrary.wiley.com/doi/10.1111/j.1469-1795.2005.00004.x/abstract Accessed 12/04/13 2 Clubb, R., & Mason, G., Animal Welfare: Captivity effects on wide-ranging carnivores. 2003. Nature 425, 473474 Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 13 associations with scent and sight of humans. USFWS has further failed to disclose or address what efforts have been made, if any, to prevent inadvertent domestication. USFWS has failed to directly address the issue of habituated wolves since the beginning of the Mexican wolf program. The negative impacts of habituation caused by captive-bred and captiveraised wolves and the negative impacts that arise from the repeated capture of wolves from the wild for veterinary, translocation, collar maintenance and other purposes, have been dismissed as acceptable collateral damage, even though it is well known that habituation is not only a safety problem for humans, but it can lead to problems for the animals in the wild themselves. The problems of habituation have been well studied, and it is known that habituation can lead to breakdowns in natural predator-prey relationships3, the transmission of diseases, and the attraction of dangerous predators to human use areas4. Many grizzly bear management problems arise from habituation; there is no reason to assume this would not be true with wolves. According to a study of grizzly bear food conditioning and habituation that results in less fear of humans and a predilection towards humans or human facilities, “… management of bears has become increasingly phrased in terms of habituation and food conditioning, and some programs have included a direct assessment of these factors as a basis for managing individual bears (Claar et al. 1986, Dalle-Molle and Van Horn 1989, Mc- Crory et al. 1989, and McLean and Pelton 19905. Clearly USFWS could and should assess the same factors with respect to management of Mexican wolves. Not only should the impacts of habituation of individual wolves be addressed by USFWS, but the issues of the effect that habituated alpha wolves have when they teach their offspring and other pack members the habituated behaviors. To date, only the positive short- and long-term effects of the current management practices have been presented by USFWS; the public should have the negative short- and long-term and cumulative effects available to analyze and comment on as well.. Additionally, recent epigenetic studies indicate that transgenerational effects may be inherited via parental gametes. If, as science is beginning to discover, “environmental information may be inherited transgenerationally at behavioral, neuroanatomical and epigenetic levels”,6 then it is imperative that USFWS reexamine the wisdom of the current approach to Mexican wolf management that develops habituation behavior that may be not just taught, but genetically transmitted to subsequent generations. 3 Ripple, W. J., and R. L. Beschta. 2004. Wolves and the ecology of fear: can predation risk structure ecosystems? BioScience 54(8):755-766. 4 McCullough, D. R., K. W. Jennings, N. B. Gates, B. G. Elliott, and J. E. DiDonato. 1997. Overabundant deer populations in California. Wildlife Society Bulletin 25(2):478-483. 5 Mattson, D.J., Blanchard, B.M., Knight, R.R., Yellowstone Grizzly Bear Mortality, Human Habituation, and Whitebark Pine Seed Crops, 1992. Journal of Wildlife Management . 56(3):432-442 6 Dias, B.G., & Ressler, K., Parental olfactory experience influences behavior and neural structure in subsequent generations. 2013. Nature Neuroscience, Published online 01 December 2013. http://www.nature.com/neuro/journal/vaop/ncurrent/full/nn.3594.html Abstract accessed 12/04/13 Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 14 Recommendation: Withdraw the proposed 10(j) rule for comment until the following information is available to the public: Data on the number of captive-bred, captive-bred wolves and/or wolves that have ever been in temporary captivity, as well as the number of wolves descended from them, compared to the estimated total population of Mexican wolves; Data on the number of captive-bred, captive-bred and/or wolves in temporary captivity that have been involved with depredation and other reported incidents; Analysis and disclosure of habituation and Mexican wolf behavior including the short and long term and cumulative effects, both positive and negative, of captive breeding, captive-raising, and repeated handling of wolves. Issue: USFWS has failed to address direct, indirect and cumulative impacts to the human environment Discussion: Realistically, the Mexican wolf reintroduction area, both existing and as proposed, includes a long-standing human population that cannot be overlooked as a legitimate part of the environment. Humans have arguably occupied the US Southwest as long as wolves have; certainly modern wolves have co-existed in the environment with humans for long enough7 that humans are as much a part of the wolves’ natural environment as are any other contemporary species. Human residents and local governments within the Mexican wolf reintroduction area have consistently suffered from the Mexican wolf program’s negative impacts. Captive-raised and released wolves in particular have proven over and over to become problem wolves with the resident humans who live and work in the reintroduction area. Unless it is the intent of USFWS to eventually have the public retreat from conducting all outdoor activities that are in conflict with the Mexican wolf, which would be unconscionable and in violation of all civil rights of the citizens who enjoy the use of public lands, any proposed reintroduction plan must address the human factor in the Mexican wolf environment, not simply as how humans may impact the wolves, but as how the wolves may impact the humans. Threats to the health and well-being of the citizens of the BRWRA have been studied and the results submitted to USFWS; however the agency has failed to provide these documents to the public. Furthermore, the most basic information about the impacts of wolves on the human environment in the BRWRA has not been provided. This information includes, but is not limited to, the following: 7 The land ownership within the existing BRWRA and proposed expanded area (private, state, federal). Wolf population by state and county (or other legal jurisdiction, such as tribal lands) over time (historically as well as by year from the initiation of the Mexican wolf program). Hibben, Frank C., "Evidences of early occupation in Sandia Cave, New Mexico, and in other sites in the SandiaManzano region," Smithsonian Miscellaneous Collections, No. 99, 1941. Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 15 Wolf/human incidents for each county or tribal lands within the BRWRA over time (historically as well as by year from the initiation of the Mexican wolf program). Wolf/human incidents on private lands (historically as well as by year from the initiation of the Mexican wolf program). Breakdown of wolf/human incidents by wild wolf vs. captive-raised, including wolves that were at one time wild but had been captured and handled by humans at any time. Data on domestic animal depredation compensation (including non-reimbursement for reported depredation). It would be unrealistic to expect the public to accept having wolves routinely kill livestock and pets, to habituate human residences, and to continue to decimate the populations of valued game animals. It is also hard to believe that wolves in the wild would eventually learn to prey only upon the species that the USFWS desires for them to eat and occupy only the areas where the USFWS wants them to stay. Any reintroduction plan that fails to address this human element has failed to demonstrate that the Mexican wolf could actually thrive in the real world rather than the artificial one that the Mexican wolf program has created. When considering the conflicts and problems with the current Mexican gray wolf reintroduction program, it is hard to expect that the expansion of the current program could result in anything but an increase in the conflicts and problems that have already been experienced. It is time to reassess the Mexican wolf reintroduction program thoroughly, especially with the possibility of federal programs being reduced or cut even more due to declining budgets for resource management agencies. These budget shortfalls will only make it harder for USFWS to support the Mexican gray wolf reintroduction program without also substantially increasing the conflicts and impacts to local citizens. Recommendation: Include realistic assessment of direct, indirect and cumulative impacts to the local human environment, incorporating information gathered by local governments. Provide the public with following documents and any other documents available on the subject of negative economic and psychological impacts on the human environment: Inherent Potential for Post-Traumatic Stress Disorder (PTSD) Among Children Living in the Mexican Gray Wolf Reintroduction Area, by Julia Martin M.D., 2007 Psychological Impacts of Wolf Reintroduction: A Preliminary Study, by James Thal, PhD., 2006 Issue: USFWS has misused public funding for outreach activities Discussion: One of the consistent failures of the USFWS and the Mexican wolf program has been its use of funding for biased public education. Outreach has been performed as if the program has been without fault and as if the reason for failure of the Mexican wolf program has been because of the actions of those who have been most negatively impacted by it and oppose it. Thus outreach has been used to lead the public to false conclusions. From the beginning of the Mexican wolf recovery effort, the stated approach has been one of adaptive management, that is, an approach which begins with the premise that not everything is Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 16 known and that the management process will be adjusted through a learning process. However, the public has not been presented with this image of adaptive management, and this has significantly contributed to the ongoing problems and ultimate poor performance of the program. USFWS has further allowed pro-wolf non-governmental organizations to provide “outreach” even though these entities provide only one point of view. For instance, the December 3, 2013 USFWS public hearing in Pinetop, AZ, participants who brought authoritative and professionally produced info-graphics, charts and data that were critical of the Mexican wolf program were not allowed to post or display any items, yet on the USFWS information table that was manned by various agency employees and IFT members, a stack of pro-wolf materials were displayed. The public meeting locations themselves provide evidence of the attempt to bias the comment responses. None of the five meetings were held in the BRWRA itself, which is of course the only area with directly impacted stakeholders. Furthermore, four of the five meeting locations (Washington, DC, Denver, CO, Albuquerque, NM, Sacramento, CA ) were held in locations that would attract individuals who are least directly impacted and who were highly recruited by prowolf non-governmental organizations. For example, the Pinetop, AZ meeting was sponsored by the following organizations, all of which are not only openly pro-wolf, but many of which are equally openly anti-rancher and which support the idea of banning all livestock activities in the BRWRA: Defenders of Wildlife Grand Canyon Wolf Recovery Project Sierra Club-Grand Canyon Chapter Sierra Club-Rio Grande Chapter WildEarth Guardians Center for Biological Diversity New Mexico Chapter of ConservAmerica The Wildlands Network Grand Canyon Wildlands Council Animal Protection of New Mexico Southwest Environmental Center Conservation Voters New Mexico Western Watersheds Project NM Wilderness Alliance Western Wildlife Conservancy The Rewilding Institute Wolf Conservation Center White Mountain Conservation League Great Old Broads For Wilderness NM Audubon Council Animal Defense League of Arizona Efforts on the part of USFWS to bias public perception have been so successful that many people assume that the pro-wolf stance of the above mentioned non-governmental organizations represents the USFWS position. This is not adaptive management based on best science and socio-economic data. This is, rather such a bias on the part of USFWS as to be a flagrant misuse of public funding for outreach and an obvious attempt to avoid inclusion of any opinions or facts that would counter the current Mexican wolf management approach favored by USFWS. It appears to be an effort to stuff the ballot box of comments in favor of USFWS and pro-wolf environmental group agendas. This is totally in violation of the intent of ESA Furthermore, USFWS has consistently failed to provide full disclosure of the cost of the Mexican wolf program to the public, and has failed to disclose whether funding for any actions has been Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 17 received from pro-wolf non-governmental agencies. This failure to reveal the actual costs for the Mexican wolf program is deceptive. Recommendation: Withdraw all proposed rules for the Mexican wolf until the public can be educated properly, in an unbiased manner, with full disclosure of all scientific, budgetary and socio-economic data, not just that which will lead the public to support the actions USFWS desires. Issue: USFWS has failed to address all potential adverse impacts Determination of Suitable Natural Habitat Reference: Page 35721, column 1, paragraph 3 “Under section 10(j) of the Act and our regulations at 50 CFR 17.81, the Service may designate as an experimental population a population of endangered or threatened species that has been or will be released into suitable natural habitat outside the species’ current natural range (but within its probable historical range, absent a finding by the Director of the Service in the extreme case that the primary habitat of the species has been unsuitably and irreversibly altered or destroyed).” Discussion: The portion of this statement at issue is “absent a finding by the Director of the Service in the extreme case that the primary habitat of the species has been unsuitably and irreversibly altered or destroyed”. It is not clear if the Director of the Service has made such a determination or, when a determination has been made, how the dramatic change in the number of humans now occupying what was once suitable natural wolf habitat will be addressed. With the rapidly growing number of people relocating to the Southwest, sufficient areas cannot be placed under very restrictive “Wilderness Management” conditions to accommodate the Mexican gray wolf. It is obvious when reading any of the creditable information pertaining to Mexican wolves that what is otherwise considered suitable Mexican gray wolf habitat becomes unsuitable when the presence of humans increases. The following quotes from the Arizona Game and Fish Department, Managing Today For Wildlife Tomorrow, Mexican Wolf Natural History publication makes it clear that degradation of Mexican gray wolf habitat occurs when humans inhabit what was once suitable natural habitat: a) “Habitat characteristics, other than vegetation types, that are important for wolves include road and human density, as well as current land uses and size of relatively intact habitat. Studies in Wisconsin indicate that road density can be used as an index to evaluate the quality of wolf habitat. However, wolf-human interactions are more complex than just estimating road density, as different types of activities at different seasons have variable impacts on wolves. It appears that mere disturbance by humans may not negatively impact wolves, but direct killing or accidental vehicle collisions can have a significant impact. As sizes of intact, remote habitat become smaller, more wolfhuman interactions will result, usually to the demise of the wolf.” b) “Over the course of the current reintroduction project, some Mexican wolves that had become acclimated to people and frequented campsites could not be discouraged from the area, even after intensive hazing. These wolves had to be recaptured and returned to captivity. Other wolves that moved to areas near humans experienced extremely high Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 18 mortality rates and died before they could be recaptured.” http://www.azgfd.gov/w_c/wolf/naturalhistory.shtml Recommendations: USFWS should analyze and disclose to the public whether there is actually sufficient suitable natural habitat to support a viable population of Mexican gray wolves in the Southwest as the conditions exist today, rather than how they may have been 100 years ago or in an ideal world. USFWS should also address what sort of adaption on the wolf’s part would be required for the population to become capable of successfully coexisting with humans and how such adaption would occur, since USFWS cannot simply remove humans from or change their lifestyle in the Southwest in order to accommodate the Mexican gray wolf, and since habituation is clearly not the answer. Factual Omissions Discussion: While USFWS has addressed some of the key information the agency has learned concerning the released nonessential experimental Mexican gray wolves since 1998, other information that may not fit well with USFWS’s current agenda has been omitted. Genetic purity: The problem of genetics of the Mexican gray wolf is an issue that has been omitted from the proposed 10(j) rule revision. Serious questions have been raised as to the possibility that the animals presented to the public as wolves are in fact all descendents of wolf-dog hybrids. In a 1997 letter to D.R. Parsons regarding the Ghost Ranch wolves, Roy McBride concludes that the Ghost Ranch lineage animals were wolf-dog hybrids. In a 1986 USFWS paper, J.B. Woody points out that at the time there was no taxonomic means for classifying individual animals to subspecies. Furthermore, already by 1986 skull analysis of captive raised animals revealed dog characteristics. The issue of whether the animals that are the subject of the 10(j) rule are actually Mexican wolves or even a valid subspecies of gray wolves is not and has never been addressed by USFWS publicly, and USFWS has omitted the facts of Mexican wolf genetics in the proposed revision as well. Mexican wolf management history: Information released to the public regarding the management of the Mexican wolf has been heavily redacted since the inception of the program. The public should be provided with all documents and information from the beginning of the program, including regarding the Mexican Wolf Captive Management Committee and the American Association of Zoological Parks and Aquariums, so as to provide a basis for public analysis and comment on the proposed 10(j) rule revision. This information should include anything associated with a Species Survival Plan or any management of Mexican wolves, including but not limited to decisions on breeding of individual animals, transfer of animals, evaluation of captive breeding facilities. Routine periodic reports on Mexican wolf actions, such as made by the Interagency Field Team (IFT), are now well-hidden online and difficult to access. These should also be made available in one location readily accessible by the public prior to the close of any comment period. Livestock depredation: While the issue of livestock depredation is addressed in the proposed 10(j) rule changes, the magnitude of this problem has not been disclosed. It is unclear whether USFS has collected or considered the plethora of data available regarding livestock depredation, since neither the proposed revised 10(j) rule nor the initial release of the Draft EIS for the proposed revised 10(j) rule indicates that USFWS has collected or analyzed this Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 19 data. In fact nowhere in the draft index to the EIS is there a reference to any issues, concerns, or problems with the current nonessential experimental release program. Livestock depredation records of local livestock producers and the USDA Wildlife Services are available from local county governments, local Resource Conservation Districts and local livestock producer organizations. These records reflect the actual claimed and confirmed, and claimed and unconfirmed occurrences of Mexican gray wolf predation within the recovery area. This data is critical in order o assess the actual impacts to livestock producers. Other data on impacts to the local citizen resulting from the current Mexican gray wolf release program that could be very useful in revising the current 10(j) rule would include the number of times monitoring efforts found a Mexican gray wolf feeding on livestock, elk, deer and other carcasses. Wolf/human interaction: All data related to Mexican gray wolf and human interactions, as well as pet and livestock interactions should be included in proposed rules. This is not trivial information; in neighboring Catron County NM alone there have been hundreds of investigated interactions recorded, some of which are recurring incidents. The public should know, for instance, that wolves reported nearly 30 times at one residence, that children have in fact been followed from school bus stops by wolves, that wolves have fought with family dogs on kitchen doorsteps. The actual and current incidences of human/livestock/pet interactions with Mexican gray wolves is information the public should have available at the earliest possible time, and in any case no later than the publishing of a proposed rule in the Federal Register, in order to adequately analyze and comment on the proposed rules. This also is the kind of information if shared could lead to a higher level trust between the USFWS and the public. It may be that the data does not support the fabricated image of the Mexican gray wolf that is being presented to the public, which is that the local population, specifically ranchers, is the cause for the failure for the program. Letting the public know the truth about Mexican gray wolf behavior will foster and build trust with the local rural citizens that routinely witnesses Mexican gray wolf activities. Building trust by presenting the truth can lead to a higher level of tolerance for the Mexican gray wolf being reintroduced back into suitable habitat in the Southwest, if such habitat exists. Basing the future of the Mexican gray wolf recovery program on creditable, on-the-ground, experience gained from the current management of the nonessential experimental population of Mexican gray wolf’s could move the recovery of the Mexican gray wolf forward. The current dodging and ducking and hoping for a successful system of management as is being proposed in the revised 10(j) rule will only serve to hinder recovery of the Mexican wolf in the US Southwest. When the public gets the feeling the USFWS is purposely avoiding the release of critical of information, the natural response is distrust and heightened fear of wolves. This distrust and fear may be the biggest factor the USFWS faces in their Mexican gray wolf Recovery Program. Recommendation: USFWS should revise its documents to include all data, including but not limited to the following: Complete genetic analysis from the initial capture of the ancestors of today’s Mexican wolves, including: Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 20 o The genetic makeup of the original animals from which the current population of Mexican wolves is descended; o The numbers of animals analyzed and their identities; o The results of analysis; o The cause of dog characteristics in wolf skulls; and o Records of any animals in the wild that DNA testing showed were hybrids and proof they were subsequently eliminated from the population. Provide the public with all documents associated with the Mexican Wolf Captive Management Committee, the American Association of Zoological Parks and Aquariums, and any information associated with Species Survival Plans and/or management of the Mexican gray wolf, including but not limited to: o Decisions on breeding of individual animals, transfer of animals, evaluation of captive breeding facilities; and o Periodic management reports (e.g. of the Interagency Field Team). Livestock depredation (claimed/confirmed and claimed/unconfirmed) Wildlife depredation Pet/Mexican gray wolf interactions and the number of pet mortalities due to Mexican gray wolf attacks Human/Mexican gray wolf interactions where the people felt threatened enough to report the occurrence Wolf presence in rural communities and other places of regular human habitation Denning sites that located near nests, dens or areas where the young are reared of other listed species, as well as the potential impacts of Mexican wolves on the activities of those listed species. Taking of Private Property Reference: Page 35734 column 2 last paragraph, and column 3 paragraph 1, We are proposing to revise the conditions that determine when we would issue a permit to allow take of Mexican wolves that are engaged in the act of killing, wounding or biting livestock. The 1998 Final Rule included a definition of breeding pair as one of the conditions for take of Mexican wolves by livestock owners or agents on public land grazing allotments (i.e., that there must be six breeding pairs present in order for a permit to take wolves to be issued by the Service). We consider overall population size to be a better metric for evaluating the appropriateness of providing such permits because it provides a more consistent measure of the population’s status. Therefore, we are proposing to modify the provision ‘‘6 breeding pairs’’ to a requirement that at least 100 Mexican wolves must be present in the MWEPA before such a permit can be issued. With this proposed modification, the definition of a breeding pair would be made unnecessary.” And Page 35737 column 1 paragraph 2 ..."this rule does not have significant takings implications.” And Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 21 Page 35737 column 1 paragraph 3, “ A takings implication assessment is not required because this rule will not effectively compel a property owner to suffer a physical invasion of property and will not deny all economically beneficial or productive use of the land or aquatic resources.” Discussion: The proposal to “issue a permit to allow take of Mexican wolves that are engaged in the act of killing, wounding or biting livestock” is an appropriate measure to allow the owners of livestock to protect their private property that result from the federal action of releasing nonessential experimental captive bred wolves into the wild. However, an arbitrary requirement that 100 wolves must be present in the Mexican Wolf Experimental Population Area (MWEPA) before such a permit can be issued creates an unacceptable situation where the owner of livestock cannot defend or take sufficient action to protect their private property from being destroyed by a federal activity. There are clearly takings implications when the owner of livestock that has been mutilated or killed by wolves is denied the opportunity to protect his property from harm; the 100 wolf dividing line creates such a situation. The Fifth Amendment provides that private property shall not be taken without just compensation. It should make no difference where the wolf depredation takes place or how many animals are mutilated or killed in the attacked. Livestock permitted on federal land are just as much private property as livestock on private land. The ESA and other federal laws do not grant the USFWS the authority to destroy private property without providing compensation no matter what activity they are conducting. To simply declare that a takings implication assessment (TIA) is not necessary is not to actually make it so, and “legitimate government interest” is not justification for omitting a required TIA. There is no evidence provided by the USFWS to support the assumptions made in the above quoted statements about what would “effectively compel a property owner to suffer a physical invasion of property” and what level of federal actions would actually “deny all economically beneficial or productive use of the land or aquatic resources”. Recommendation: USFWS should provide actual evidence to support its statement that “A takings implication assessment is not required”. Considering State Owned/Managed Land the Same as Federal Lands Reference: Page 35735 column 1 paragraph 2, “We are proposing to consider State-owned lands within the boundaries of the MWEPA in the same manner as we consider lands owned and managed by other public land management agencies. The 1998 Final Rule designated Stateowned lands within the boundary of designated wolf recovery area as public land. All Stateowned lands within the boundary of the MWEPA, but outside of designated wolf recovery areas were subject to the provisions of private lands in the 1998 Final Rule. We are proposing this change to allow consistent management of Mexican wolves throughout the MWEPA, recognizing that State and other public lands within the MWEPA are under control of the agency that owns those lands, that this regulation gives the Service no additional authority over those lands, and Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 22 thus the Service’s role is to work cooperatively with those land management agencies to address conservation needs of the Mexican wolf.” Discussion: This sweeping grab of control of state owned and managed lands by an agency of the federal government is not provided for in any laws or regulations. The ESA gives the USFWS the authority to protect from “take” threatened and endangered species on all lands of the US. The ESA also gives the USFWS the authority to ensure that threatened and endangered species are afforded the appropriate consideration in the management of federal lands and when federal funds are used to complete projects on private lands. Nowhere does the ESA include state owned lands in its requirements for the management of federal lands, and USFWS should not attempt to do so through its own regulations. In Arizona and New Mexico much of the state owned land is held in a trust for the citizens of the state to generate revenues that are used for the benefit of the citizens (i.e. education funding). The resources generated from these lands are derived by either direct sale of the resources or through the lease of these lands to private entities. Any interference with this long established process by the USFWS would be a violation of state law. Although USFWS declares “this regulation gives the Service no additional authority over those lands” the fact that the state land is being lumped with federal land in the regulation does imply there would be some measure of federal management applied to the state land. While it would be convenient for USFWS to have state land management consistent with the management implemented on federal lands, what is not disclosed is the fact the current management objectives of State Trust lands are not consistent with the proposed nonessential experimental Mexican gray wolf 10(j) rule procedures. USFWS could “work cooperatively with those land management agencies to address conservation needs of the Mexican wolf” without codifying in regulation the mandate that State Trust lands will be managed using the same measures implemented on federal lands. Recommendation: USFWS should remove wording regarding regulation of management of state trust lands. Additional Indirect Adverse Impacts Not Clearly Addressed Domestic Dogs and Mexican gray wolf interbreeding Discussion: There is little reference in the proposed change of the 10(j) rule to the topic of interbreeding of domestic dogs with Mexican wolves. In the preliminary draft EIS there is substantial information presented concerning the genetics of the nonessential Mexican gray wolf population. A case is made in the preliminary draft EIS that there is a need to have more captive breed Mexican gray wolves released into the wild so that the occurrence of low genetic variability within the wild population could be reversed. While having more breeding pairs of Mexican gray wolves in the wild might help broaden the genetic makeup of the population, nothing is mentioned in the EIS or the proposed 10(j) rule revision pertaining to the corruption of the genetic makeup of the nonessential Mexican gray wolf population due to hybridization with domestic dogs. Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 23 It has been reported that on at least one occasion a litter of what were at first thought to be pure Mexican gray wolf had to be destroyed because it was obvious the pups were a cross between a Mexican gray wolf female and a male domestic dog. Unchecked domestic dog/wolf cross breeding could corrupt the Mexican wolf genetics in as quickly as two or three years as the hybrid animal’s genetics are inserted into the wild nonessential population. As the recovery area for the nonessential population expands and the number of breeding pairs of nonessential Mexican gray wolf’s increases the chances of cross breeding with domestic dogs will only increase. There are previous USFWS employees who contend that cross breeding with domestic dogs has already occurred in the foundation-breeding animals. Information concerning the cross breeding between Mexican gray wolf’s and domestic dogs is vital to helping the public understand the purity and genetic integrity issues concerning Mexican gray wolf’s. Recommendation: USFWS should address the issue of dog/wolf crossbreeding in the proposed revision to the nonessential Mexican gray wolf operations. Release and Management of Wolf Hybrids Discussion: Wolf hybrids (wolf/dog crosses) are not uncommon pets8, although they do make problematic pets. As a result, wolf hybrids are turned loose or brought to private kennels that specialize in the care of such animals9. The abandonment of wolf hybrids into the MWEPA will continue as people are needlessly led to believe wolves are loving domesticated animals that can be turned into household pets. There have been, and will continue to be, multiple wolf hybrid sanctuaries established to deal with these unmanageable animals, but most of these facilities soon fail due to the lack of funding. These facilities have been (and are) located across both Arizona and New Mexico and the hybrid wolf/dogs quite often are purposely or accidently turned loose. Most often these escaped wolf hybrids are never recaptured and left running loose with the hopes they can survive. It can be easily verified by checking with local governments, residents of and near the BRWRA, and livestock producer organizations that there have been occasions where ranchers have shot hybrid wolf/dogs running loose on their ranches. There have also been occasions where these animals have either killed or harmed livestock, but this predation has not been reported as wildlife damage because stray dogs are not protected by law like Mexican wolves are, even though they are a consequence of the presence of Mexican wolves. While the wolf/dog hybrid predation is addressed under local county laws and regulations and to date has been a relatively safe practice (except for the areas where it was known nonessential Mexican gray wolves were located), this will no longer be the case as nonessential Mexican gray wolf’s are allowed to leave the BRWRA. The USFWS makes no mention of this hybrid wolf/dog problem in the proposed 10(j) rule changes even though the revision of the nonessential Mexican gray wolf operations will greatly compound the wolf/dog depredation problem that the USFWS has had little to do with in the past. Also the USFWS does not offer any information concerning the release or occurrence of 8 https://www.google.com/search?q=WOLF%20hybrids%20for%20sale&ie=utf-8&oe=utf8&aq=t&rls=org.mozilla:en-US:official&client=firefox-a&channel=np&source=hp accessed 10/18/13 9 For example, http://www.campsilvercity.com/wolfsong.shtml Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 24 hybrid wolf/dogs within the MWEPA since 1998 even though such information could be useful for the public when they are considering the adverse impacts of the proposed revision. These hybrid wolf/dogs if undetected for several years would also contaminate the genetics of the nonessential Mexican gray wolf population as well as cause livestock depredation problems that will be blamed on the nonessential Mexican gray wolf population. The inclusion of wolf/dog hybrids into occupied Mexican gray wolf habitat could also cause problems with established Mexican gray wolf pack territories and even the makeup of Mexican gray wolf packs. Recommendation: USFWS should address the hybrid wolf/dog problem in the proposed 10(j) rule. Analysis of Mexican gray wolf Prey Base Discussion: There is limited reference in the proposed change of the 10(j) rule pertaining to the Mexican gray wolf prey base. The availability of sufficient prey to support an expanded population of Mexican gray wolves is critical to the success of reintroduction of Mexican gray wolf. In USFWS primary release site discussions, the point is made that the Mexican gray wolf prey base found on the White Sands Missile Range has declined and this area would no longer support a viable population of Mexican gray wolves. There is no information as to why this declining prey situation would only occur on the White Sands Missile Range but not elsewhere in New Mexico and Arizona. While it is stated on page 35726 column 2 paragraph 2, “white-tailed deer and mule deer were believed to be the primary sources of prey” and it is stated on page 35726 column 2 paragraph 3 that “Mexican wolves in the BRWRA show a strong preference for elk compared to other ungulates”, it is common knowledge that like most predators, Mexican gray wolves prey upon and scavenge the carcasses of any animal species located in the area they inhabit. The Mexican gray wolf’s diet does and will continue to consist of whatever food source that is readily available to them including livestock and pets. Consumption of any available food that will reasonably provide nutrition is a natural and very basic survival instinct of any animal in the wild, since no preferred food source can ever be guaranteed. USFWS should analyze not only the Mexican gray wolf prey base, but the cumulative effect of all large predators and scavengers within the MWEPA on the prey base, since any increase of Mexican wolves represents an increase in all predation. Information about the ability of populations of wild ungulates to withstand additional predation, and the levels of wild ungulate populations necessary before privately owned livestock and pets fill the gap, are key to determining the level of Mexican gray wolf depredation that will be tolerated. As has been the case for as long as anthropogenic information has been recorded, livestock and pets are not acceptable prey for large predators and scavengers. This basic component of human nature cannot be easily changed. There is a large data base of information concerning the current and projected future populations of Mexican gray wolf prey species within the expanded MWEPA that has not been considered by the USFWS when determining the feasibility of expanding the MWEPA. The only mention of Mexican gray wolf prey in the expanded MWEPA is to list a few species that would possibly Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 25 make up potential Mexican gray wolf prey. Having a sufficient Mexican gray wolf prey base that is in a healthy enough condition to be able to sustain itself with the additional pressures of a Mexican gray wolf population would logically be a critical element in the decision to expand the MWEPA, but for some reason there is not much discussion or analysis of this critical habitat component. Recommendation: USFWS should present an adequate analysis of the current and potential future Mexican gray wolf prey base and the potential for this critical Mexican gray wolf habitat need to be sustainable in the MWEPA. This information would help the decision-maker and the public understand of the impacts of the proposed actions. This information should consist of: Data pertaining to the current diet of the nonessential Mexican gray wolf population that has been in place since 1998. The health and nutrient intake level of the nonessential Mexican gray wolf population that has been in place since 1998, especially where it relates to getting sufficient nutrients to meet these animal’s needs. Estimates from the Game and Fish Departments in both Arizona and New Mexico regarding the current populations and population trends of large ungulate prey species in the MWEPA and proposed expansion areas. Estimates from the Game and Fish Departments in both Arizona and New Mexico regarding hunter success and hunter satisfaction since 1998 in the BRWRA pertaining to the large ungulate species that are Mexican gray wolf prey species. Impact on existing predator population Discussion: The BRWRA had no population of wolves in it for approximately fifty years. The natural environment does not harbor vacuums in predator niches for long. The fact that the existing large ungulate population has been relatively stable would indicate that large predators moved into the area to fill the niche left when wolves were eradicated in the area. USFWS has provided no evidence of studies which address the impact of Mexican wolves on other large predators such as bear and mountain lion, or on other predators such as coyotes and bobcats within the BRWRA, nor has USFWS provided analysis of the potential impacts on these other predator populations if the Mexican wolf area was to be expanded. Sustainability of Mexican wolf prey base including human needs Discussion: The Proposed Changes to the 10(j) Rule should provide sufficient information for the public to understand the potential effects to not only the Mexican gray wolf, but to also the potentially occupied habitats and ecosystems that will be affected by the proposed revision of the nonessential Mexican gray wolf program. This information should not only address the Mexican gray wolf prey needs, but also the impacts to these prey species due to the Mexican gray wolf being reintroduced into newly created recovery areas. The impacts to outdoor recreation opportunities as it relates to changes in Mexican gray wolf prey populations due to the reintroduction of the Mexican gray wolf into once unoccupied areas is also of great concern. To say that wolves occupied an area 50 years ago or 500 years ago should not infer that the impacts Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 26 of re-establishing Mexican gray wolves into these areas are not a new impact that needs to be addressed in the NEPA analysis. There is a high level of distrust and very little tolerance for the Mexican gray wolf reintroduction program expressed by the hunting community and other large game species enthusiasts. Large ungulate wildlife species have been treasured in the western states for many years. To now dismiss them as merely being Mexican gray wolf fodder would be a slap in the face for many citizens of Arizona and New Mexico, and would represent complete disregard for the socioeconomic impacts on local communities. There is a growing concern that a decrease in funding for game management could take place in both Arizona and New Mexico. Declines in budgets have already resulted in the health and populations of game species no longer being closely monitored and successfully managed. The expansion of the MWEPA and the reintroduction of Mexican gray wolf there would only compound state game and fish department’s stained capacity to manage populations of game animals. Wolf Prey in Urban Areas A very alarming issue concerning Mexican gray wolf prey species, which has become (and will continue to be) ever more prevalent, is the attractiveness and ready availability of deer and javelin (peccary) populations within urban and smaller communities across Arizona and New Mexico. This is especially a problem in smaller rural communities that are surrounded by undeveloped federal land. As environmentally concerned but misguided people move into these small rural communities to be closer to nature they have created many problems for themselves and the wildlife by providing food for many species of wildlife. Additionally, habituated wolves, with less fear of humans, have been shown to seek the easier prey of small livestock (such as fowl, sheep, goats) and pets that are readily accessible in human populated areas. As the Mexican gray wolf population expands and occupies more of the MWEPA, the occurrence of wolves coming into these smaller communities to hunt and kill their prey will increase. This behavior will not be tolerated by the public and could possibly lead to people being harmed by Mexican gray wolves. As with even the most docile domestic dog, when someone or some other animal attempts to take away a wolf’s food, the animal can get very aggressive. Again the USFWS has not considered or addressed this issue in the Proposed Change of the 10(j) Rule. Recommendation: WSFWS should revise the proposed 10(j) rule change to address the issue of Mexican wolf prey in urban and other human population areas. CONCLUSION: There are many more issues concerning the Proposed Change of the 10(j) Rule that could be addressed. Apache County has limited comments to areas where either information was lacking or where the information presented was inaccurate or not presented clearly. Apache County comments also reflect the concerns and thoughts of its citizens. While much more could have been written, it is felt the comments presented have brought forward the key areas where Apache County AZ Comments: Proposed Revision to Mexican Wolf 10(j) Rule Page | 27 problems exist. Apache County believes that the proposed revision to the 10(j) rule is so flawed as to require withdrawal and significant revision before being re-released for public comment. The mission of the U.S. Fish and Wildlife Service is to conserve, protect and enhance fish, wildlife, plants and their habitats for the continuing benefit of the American people. This mission will work much better when USFWS considers the real impacts of these actions on the people who live, work and have daily contact with the species of concern. USFWS should make every effort to implement their mission of conserving species with the support of local citizens through open, honest communications and when a sense of fairness is part of the equation. Thank you for your attention to our comments. Sincerely,