Endangered and Threatened Wildlife and Plants; Removing the Bald Eagle in
the Lower 48 States From the List of Endangered and Threatened Wildlife
[Federal Register: February 16, 2006 (Volume 71, Number 32)]
[Proposed Rules]
[Page 8238-8251]
From the Federal Register Online via GPO Access [wais.access.gpo.gov]
[DOCID:fr16fe06-15]
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DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
50 CFR Part 17
RIN 1018-AF21
Endangered and Threatened Wildlife and Plants; Removing the Bald Eagle in
the Lower 48 States From the List of Endangered and Threatened Wildlife
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Proposed rule; reopening of public comment period with new
information.
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SUMMARY: We, the U.S. Fish and Wildlife Service (Service), announce the
reopening of the public comment period for the proposal to remove the
bald eagle (Haliaeetus leucocephalus) from the List of Endangered and
Threatened Wildlife in the lower 48 States of the United States, under
the Endangered Species Act of 1973 (ESA), as amended. The proposed
delisting rule for the bald eagle was published on July 6, 1999 (64 FR
36454). Comments previously submitted on the July 6, 1999, proposed
rule need not be resubmitted as they have been incorporated into the
public record as part of this reopening of the comment period, and they
will be fully considered in the preparation of the final rule. In
reopening the comment period, we provide new information, respond to
the comments we received in the proposed rule, and further clarify our
reasons for proposing to delist the species.
The best available scientific and commercial data available
indicates that the bald eagle has recovered. The bald eagle population
in the lower 48 States has increased from approximately 487 active
nests in 1963, to an estimated minimum 7,066 breeding pairs today. The
recovery of the bald eagle is due in part to habitat protection and
management actions, and the reduction in levels of persistent
organochlorine pesticides (such as DDT) occurring in the environment.
This rule will not affect protection provided to the species under the
Bald and Golden Eagle Protection Act (BGEPA) or the Migratory Bird
Treaty Act (MBTA).
In addition, the Bald and Golden Eagle Protection Act will continue
to provide protection to the bald eagle, if delisting under the ESA is
found to be warranted. To help clarify the BGEPA protections provided
to the bald eagle, the Service is also soliciting public comments on
two related draft bald eagle documents under the BGEPA that are being
published simultaneously with this proposed delisting rule. First,
[[Page 8239]]
we are publishing a notice of availability and request for public
comments on draft National Bald Eagle Management Guidelines
(Guidelines). The Guidelines provide guidance on how to comply with the
requirements of the BGEPA by avoiding disturbance to bald eagles under
different land use scenarios. Second, we are publishing a proposed rule
to add the definition of ``disturb'' to our regulations at 50 CFR 22.3,
which implement the BGEPA. These two documents are published separately
in this part of today's Federal Register and include additional
information about submitting comments on them.
DATES: We must receive comments by May 17, 2006 in order to ensure
their consideration in our final decision. Any comments that we receive
after the closing date may not be considered in the final decision on
this proposal.
ADDRESSES: You may submit comments and other information, identified by
RIN 1018-AF21, by any of the following methods:
? Mail: Michelle Morgan, Chief, Branch of Recovery and
Delisting, Endangered Species Program, U.S. Fish and Wildlife Service,
Headquarters Office, 4401 N. Fairfax Drive, Room 420, Arlington,
Virginia 22203. Attn: RIN 1018-AF21.
? Hand Delivery/Courier: Same address as above.
? E-mail: baldeagledelisting@fws.gov. Include ``RIN 1018-
AF21'' in the subject line of the message.
? Federal eRulemaking Portal: http://www.regulations.gov.
Follow the instructions for submitting comments.
Instructions: All submissions received must include the agency name
and Regulatory Identification Number (RIN) for this rulemaking. For
detailed instructions on submitting comments, file format and other
information about electronic filing, and additional information on the
rulemaking process, see the ``Public Comments Solicited'' heading of
the SUPPLEMENTARY INFORMATION section of this document. In the event
that our Internet connection is not functional, please submit your
comments by the alternate methods mentioned above.
Comments and materials received for this rule will be available for
public inspection, by appointment, during normal business hours at the
above address after the close of the comment period. Call (703) 358-
2061 to make arrangements.
FOR FURTHER INFORMATION CONTACT: Mary Klee, Biologist, at the
Headquarters Office (see ADDRESSES section), or via e-mail at
Mary_Klee@fws.gov; telephone (703) 358-2061.
Additional information is also available on our World Wide Web site
at http://www.fws.gov/migratorybirds/BaldEagle.htm.
Individuals
who use a telecommunications device for the deaf (TDD) may call the Federal
Relay Service at 1-800-877-8339 for TTY assistance, 24 hours a day, 7
days a week.
SUPPLEMENTARY INFORMATION:
Background
Note: Unless otherwise noted with specific citations, the following
life history information is derived from our five recovery plans for the
bald eagle and from Gerrard and Bortolotti (1988) (see References).
Current data indicate that the bald eagle in the lower 48 States
has recovered. The bald eagle population in the lower 48 States has
increased from approximately 487 active nests in 1963 to an estimated
minimum 7,066 breeding pairs today. The recovery of the bald eagle is
due in part to habitat protection and management actions, and the
reduction in levels of persistent organochlorine pesticides (such as
DDT) occurring in the environment.
The bald eagle is well known as our Nation's symbol. Its appearance
is distinguished in adult birds by its white head and tail contrasting
against its dark brown body. Its Latin name, Haliaeetus leucocephalus,
literally means sea eagle with a white head. The bald eagle is the only
species of sea eagle native to North America, and was first described
in 1766 as Falco leucocephalus by Linnaeus. This South Carolina
specimen was later renamed as the southern bald eagle, subspecies
Haliaeetus leucocephalus leucocephalus (Linnaeus) when Townsend
identified the northern bald eagle as Haliaeetus leucocephalus
alascanus in 1897 (Peters 1979). By the time the bald eagle was listed
throughout the lower 48 States under the ESA, subspecies of the bald
eagle were no longer recognized by ornithologists (American
Ornithologists Union 1983).
The bald eagle is a bird of aquatic ecosystems, frequenting large
lakes, rivers, estuaries, reservoirs and some coastal habitats. It
feeds primarily on fish, but waterfowl, gulls, cormorants, and a
variety of carrion may also be consumed. Adult birds are brown with a
white head and tail, while the sub-adult's plumage varies. Female bald
eagles usually weigh 10 to 14 pounds and are larger than the males,
which usually weigh 8 to 10 pounds.
Bald eagles usually nest in trees near water, but may use cliffs in
the southwest United States, and ground nests have been reported from
Alaska. Nests are usually built in large trees along shorelines, but
may be up to one-half mile or more from the shoreline. The nest is
often 4 to 6 feet wide, and after years of use, may weigh 1,000 pounds.
Adults use the same breeding territory, and often the same nest, year
after year. They may also use one or more alternate nests within their
breeding territory.
Bald eagles are relatively long lived. The longest living bald
eagle known in the wild was reported near Haines, Alaska, as 28 years
old (Schempf 1997). It is thought that bald eagles may live even longer
in captivity. It is presumed that bald eagles mate for life, though if
a member of a pair is lost, the survivor will find another partner.
Courtship begins about a month prior to egg-laying, with eagles in
southern latitudes beginning as early as September, and the northern
latitudes, as late as May. The nesting season is approximately 6
months. Eggs are incubated for approximately 35 days, and fledging
takes place at 11 to 12 weeks old. Parental care may extend 4 to 11
weeks after fledging (Wood, Collopy, and Sekerak 1998). Between
fledging and adulthood, the bald eagle's plumage changes from solid
dark brown as fledglings to include the distinctive white head and tail
as mature adults at age 4 to 5. The timing and distance of dispersal
from the breeding territory varies. Some bald eagles stay in the
general vicinity while some migrate up to hundreds of miles to their
wintering grounds and remain there for several months. Young eagles may
wander randomly for years before returning to nest in their natal
areas. In Arizona, most bald eagles return to within 124 miles of their
natal areas to breed (Terry Johnson, pers. comm.).
Eagles seek wintering (non-nesting) areas offering an abundant and
readily available food supply with suitable night roosts. Night roosts
typically offer isolation and thermal protection from winds. Northern
bald eagles winter in areas such as the Upper Mississippi River and
Great Lakes area. For mid-continent bald eagles, wintering grounds
include the southern States. Southern bald eagles nest during the
winter months, and may utilize foraging areas of Chesapeake Bay and
Yellowstone National Park during the summer.
The first major decline in the bald eagle population probably began
in the mid to late 1800s. Widespread shooting for feathers and trophies
led to extirpation of eagles in some areas. Shooting also reduced part
of the bald
[[Page 8240]]
eagle's prey base. Waterfowl, shorebirds, and small mammals were also
reduced in numbers. Carrion treated with strychnine, thallium sulfate,
and other poisons was used as bait to kill livestock predators and
ultimately killed many eagles as well. These were the major factors, in
addition to loss of nesting habitat from forest clearing and
development, which contributed to a reduction in bald eagle numbers
through the 1940s.
In the late 1940s, shortly after World War II, the use of dichloro-
diphenyl-trichloroethane (DDT) and other organochlorine pesticide
compounds became widespread. Initially, DDT was sprayed extensively
along coastal and other wetland areas to control mosquitoes (Carson
1962). Later, it was widely used as a general crop insecticide.
Dichlorophenyl-dichloroethylene (DDE), the principal metabolic
breakdown product of DDT, devastated eagle productivity from the 1950s
through the mid-1970s. DDE accumulated in the fatty tissue of adult
female bald eagles, and impaired calcium metabolism necessary for
normal eggshell formation, causing eggshell thinning. Many eggs broke
during incubation, while others suffered embryonic mortality resulting
in massive reproductive failure.
Breeding and productivity surveys have been conducted annually on a
State-by-State basis since the early 1970s. Data collection methods
vary, but generally include surveys by aircraft or ground observations
each year during the breeding season to determine the number of
occupied breeding areas; a second survey is conducted just before
fledging to count the number of young produced at the site. Surveys
continue to be conducted by the Service and cooperators, primarily the
States and the U.S. Forest Service. However, recently some States have
discontinued annual surveys. The last rangewide survey was conducted in
2000. Since that time, more than half of the States have updated their
bald eagle population figures. Of the 48 States in which the bald eagle
is listed, 30 States completed surveys in 2003, 5 States completed the
last survey in 2002, and 9 States completed the last survey in 2001.
Previous Federal Actions
The Migratory Bird Treaty Act (MBTA) (16 U.S.C. 703-712) was passed
in 1918. It implements various treaties and conventions between the
U.S. and Canada, Japan, Mexico, and the former Soviet Union for the
protection of migratory birds. Under the MBTA, taking, killing, or
possessing migratory birds is unlawful. Unless permitted by
regulations, the MBTA provides that it is unlawful to pursue, hunt,
take, capture, or kill; attempt to take, capture or kill; possess,
offer to or sell, barter, purchase, deliver or cause to be shipped,
exported, imported, transported, carried or received any migratory
bird, part, nest, egg or product, manufactured or not.
The Bald Eagle Protection Act (16 U.S.C. 668-668d) was passed in
1940, specifically protecting bald eagles in the United States. A 1962
amendment to this Act included the golden eagle in this protection, and
the amended statute became known as the Bald and Golden Eagle
Protection Act (BGEPA). The golden eagle was given protected status
because of population declines, value to agriculture in the control of
rodents, and to afford greater protections to bald eagles because of
the similarity of appearance to juvenile bald eagles. This law
prohibits the take, possession, sale, purchase, barter, or offering to
sell, purchase or barter, transport, export or import, of any bald
eagle, alive or dead, including any part, nest, or egg, unless allowed
by permit (16 U.S.C. 668(a)). ``Take'' includes pursue, shoot, shoot
at, poison, wound, kill, capture, trap, collect, molest, or disturb (16
U.S.C. 668c; 50 CFR 22.3).
On March 11, 1967 (32 FR 4001), the Secretary of the Interior
listed bald eagles south of 40 degrees north latitude as endangered
under the Endangered Species Preservation Act of 1966 (Pub. L. 89-699,
80 Stat. 926) due to a population decline caused by DDT and other
factors. Bald eagles north of this line were not included in that
action because the northern populations had not experienced the same
threats and population declines and, therefore, were not considered
endangered in 1967.
On December 31, 1972, the U.S. Environmental Protection Agency
canceled and suspended registration of DDT in the United States. The
following year the Endangered Species Act of 1973 (16 U.S.C. 1531-1544)
was passed. Among the purposes of the ESA are ``* * * to provide a
means whereby the ecosystems upon which endangered species and
threatened species depend may be conserved, and to provide a program
for the conservation of such endangered and threatened species''. 16
U.S.C. Id. At 1531(b). The ESA contains provisions for listing,
protection, and recovery of imperiled species. An endangered species is
defined under the ESA as a species that is in danger of extinction
throughout all or a significant portion of its range. A threatened
species is defined as any species that is likely to become endangered
within the foreseeable future throughout all or a significant portion
of its range. The ESA and its implementing regulations prohibit the
unauthorized take of any listed species. Take is defined as harass,
harm, pursue, hunt, shoot, wound, kill, trap, capture, or collect, or
to attempt any of these acts. The ESA also prohibits shipment in
interstate commerce in the course of commercial activity or sale or
offer for sale in interstate or foreign commerce.
In 1978, the Service listed the bald eagle as endangered under the
ESA in 43 of the contiguous States, and threatened in the States of
Michigan, Minnesota, Wisconsin, Oregon, and Washington (43 FR 6233,
February 14, 1978). Sub-specific designations for northern and southern
eagles were removed.
The protection available under the ESA and the banning of DDT and
other harmful chemicals resulted in significant increases in the
breeding population of bald eagles throughout the lower 48 States. In
response to the increasing population, we published an advanced notice
of a proposed rule on February 7, 1990, (55 FR 4209) to reclassify the
bald eagle from endangered to threatened in the remaining 43 States
where it had been listed as endangered and retained threatened status
for the other 5 States. On July 12, 1994, we published a proposed rule
to accomplish this reclassification (59 FR 35584), and the final rule
was published on July 12, 1995, (60 FR 36000). Populations of bald
eagles have continued to increase, and on July 6, 1999, we published a
proposed rule to delist the bald eagle throughout the lower 48 States
due to recovery (64 FR 36454).
Bald Eagle Recovery
Section 4(f) of the ESA directs us to develop and implement
recovery plans for listed species. In some cases, we appoint experts to
recovery teams to assist in the preparation of recovery plans. To
facilitate the recovery of the bald eagle, we divided the lower 48
States into five recovery regions (Table 1). Separate recovery teams
composed of experts in each geographic area prepared recovery plans for
their region. The teams established recovery objectives and criteria
and identified tasks to achieve those objectives. Coordination meetings
were held regularly among the five teams to exchange data and discuss
progress towards recovery.
[[Page 8241]]
Table 1.--The Five Bald Eagle Recovery Regions and Dates of Approved Recovery Plans
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Recovery region Date of recovery plan States
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Chesapeake Bay................. 1982, rev. 1990............... Delaware, Maryland, the southern two-thirds of
New Jersey, the eastern half of Pennsylvania,
Virginia east of the Blue Ridge Mountains, and
the ``panhandle'' of West Virginia.
Pacific........................ 1986.......................... California, Idaho, Montana, Nevada, Oregon,
Washington, and Wyoming.
Southeastern................... 1984, rev. 1989............... Alabama, Arkansas, Florida, Georgia, Kentucky,
Louisiana, Mississippi, North Carolina, South
Carolina, Tennessee, and Eastern Texas.
Southwestern................... 1982.......................... Arizona, the area of California bordering the
Lower Colorado River, New Mexico, and Oklahoma
and Texas west of the 100th meridian.
Northern States................ 1983.......................... All remaining 24 States or parts thereof.
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Recovery Accomplishments
The Service and other Federal, State, tribal, and local cooperators
from across the Nation have funded and carried out many of the tasks
described within the recovery plans. Annual expenditures for the
recovery and protection of the bald eagle by public and private
agencies have exceeded $1 million each year for the past decade
(Service records). State fish and wildlife agencies have played a vital
role in restoring bald eagles to areas from which they were extirpated
or in which their numbers were greatly reduced. These activities
include conducting annual surveys of breeding and productivity,
purchasing lands for the protection of bald eagle habitat,
reintroduction and habitat management programs, and public outreach.
A partial survey conducted by the National Audubon Society in 1963
reported on 417 active nests in the lower 48 States, with an average of
0.59 young produced per nest. Surveys we coordinated in 1974 resulted
in a population estimate of 791 occupied breeding areas for the lower
48 States.
Since the early 1980s, breeding and productivity surveys were
conducted annually on a State-by-State basis. Data collection methods
vary somewhat from State to State but generally include surveys by
aircraft or visits to the site each year during the breeding season to
determine the number of occupied breeding areas, and a second survey
just before fledging to count the number of young produced at the site.
Some States conduct the survey themselves with agency personnel, others
collate data from partners (including cooperating agencies), while some
data is collected by personal interviews with reliable sources. Though
the data collection methods may vary, most States agree that the data
provided to us represent a minimum number of known, occupied breeding
areas. The last National bald eagle census was recorded in 2000. Since
then, a number of States have collected bald eagle data every other
year or every few years.
Since the development and implementation of the five recovery
plans, the bald eagle's population growth has exceeded most of the
goals established in the various recovery plans. In 1994, our
cooperators reported about 4,450 nesting pairs with an estimated
average young of 1.16 young per nest. Compared to the survey conducted
in 1974, the number of nesting pairs in 1994 in the lower 48 had
increased by 462 percent.
Based on the improvements through 1994, including a significant
increase in numbers of nesting pairs, increased productivity, and
expanded distribution, we reclassified the bald eagle in 1995 from
endangered to threatened (60 FR 36000, July 12, 1995). In 1999, we
proposed the bald eagle for delisting due to recovery (64 FR 36454,
July 6, 1999).
Recovery continues to progress at an impressive rate. Between 1989
and 1999, the bald eagle's nesting population increased at a rate of 8
percent per year. In 2000, the last year a National census was
conducted, there were an estimated 6,471 nesting pairs of bald eagles.
Approximately 60 percent of the lower 48 States have reported
nesting pair numbers for 2003, totaling 4,044 nesting pairs. We
estimate a current bald eagle nesting population in the lower 48 States
to be a minimum of 7,066 nesting pairs, using the numbers last reported
from the States. Of the 48 States in which the bald eagle is listed, 30
States completed surveys in 2003, 5 States completed the last survey in
2002, and 9 States completed the last survey in 2001. This population
estimate may be conservative given that several States that support
large bald eagle populations have not continued annual monitoring.
Therefore, based on the 2000 census data, the current national bald eagle
population is likely larger than the numbers available to the Service.
The bald eagle has successfully recovered throughout its range. In
1984, 13 of the lower 48 States had no nesting pairs of bald eagles,
and 73 percent of the nesting pairs were located within only six
States: Florida, Wisconsin, Michigan, Minnesota, Washington, and
Oregon. By 1996, all but two States supported nesting pairs. By 2000,
these six States had a reduced share of 59 percent of all nesting
pairs, due to increased nesting in other States. In 2000, there were an
estimated 6,471 occupied breeding areas.
In order to maintain a stable population of bald eagles, a minimum
productivity of 0.7 young per nesting pair per year is necessary
(Sprunt, et al. 1973). With a national average productivity of at least
one fledgling per nesting pair per year between 1990 and 2000, the bald
eagle population has increased and continues to maintain a healthy
reproductive rate.
Recovery within the individual recovery regions has also been
successful. Recovery plans and objectives were designed to guide and
measure recovery efforts. They are intended to provide targets rather
than absolute numeric criteria. We discuss bald eagle recovery goals
for the five regions and how these goals have been attained below.
Regional Recovery Status
The following is a comparison of the status of the bald eagle in
each of the five recovery regions against specific objectives in each
of the five recovery plans:
Chesapeake Recovery Region
Delisting Goals: Sustain a nesting population of 300-400 pairs with
average productivity of 1.1 young per nest over 5 years, and
permanently protect enough habitat to support this nesting population
and enough roosting and foraging habitat to support population levels
commensurate with increases throughout the Atlantic Coastal area.
Habitat protection will be accomplished through landowner cooperation,
land easements and acquisition, incentive programs, and a continuing
effort to pursue broad-based
[[Page 8242]]
shoreline protection through State legislation and policy initiatives.
Achievements: The numeric recovery goals were met in 1992, when the
number of nesting pairs exceeded 300 nesting pairs, and the population
has continued to increase, with over 800 nesting pairs reported in
2003. The average productivity of 1.1 young per nest over 5 years has
been met, with the average between 1998 and 2003 being 1.19 young per
nest. The objective of permanently protecting enough habitat to sustain
these population numbers is close to being achieved. Habitat has been
protected for approximately 200 nesting pairs. These protected lands
include, but are not limited to, National Wildlife Refuges, State
management areas, National Park Service lands, and conservation
easements. Since 1990, occupied breeding areas for the bald eagle have
more than doubled in this region, indicating that habitat has not been
a limiting factor and that potential nesting habitat is still available
for an increasing population of bald eagles, despite land development
pressures.
Approximately 75 percent of the nest sites in the Chesapeake Bay
area are on private lands. Habitat protection continues to proceed. For
instance, the State of Maryland, where 40 percent of the nesting pairs
occur, has established the Chesapeake Bay Critical Area Program. This
program regulates development and timber harvest operations within
1,000 feet of the Chesapeake Bay and its tidal tributaries in Maryland.
Approximately 70 to 80 percent of all eagle nests in Maryland are
within the Critical Area. Much of the forested areas within the
Critical Area will be conserved (Therres, 4/19/04 in litt), which will
likely contribute to the ability to meet the habitat preservation goal
established in the recovery plan.
Northern States Recovery Region
Delisting Goals: By the year 2000, establish 1,200 occupied
breeding areas distributed over a minimum of 16 States with an average
annual productivity of 1.0 young per occupied nest.
Achievements: The delisting goal was achieved in 1991, with 1,349
occupied breeding areas distributed over 20 States. Since 1991, average
productivity was estimated to be greater than 1.0. In 2000, the
Northern States Recovery Region had an estimated 2,559 occupied
breeding areas. When the recovery plan was approved in 1983, nesting
bald eagles were considered extirpated in Connecticut, Indiana, Kansas,
Massachusetts, New Hampshire, Nebraska, and Utah, and there was no
evidence that the species ever had nested in Vermont or Rhode Island.
As of 2003, only Vermont remains without a nesting pair of bald eagles,
with some of the aforementioned States having more than 25 active eagle
nests.
Pacific Recovery Region
Delisting Goals: A minimum of 800 nesting pairs with an average
annual productivity of 1.0 fledged young per occupied breeding area,
and an average success rate for occupied breeding areas of not less
than 65 percent over a 5-year period. Additionally, breeding population
goals should be met in at least 80 percent of 30 management zones, and
wintering populations should be stable or increasing.
Achievements: The recovery goals have been met, with the numeric
delisting objectives having been met since 1995. According to the
Pacific Bald Eagle Recovery Plan, the estimated number of nesting pairs
for the entire recovery unit in 1985 was 527. However, between 1985 and
2001 the number of nesting pairs of bald eagles for this recovery unit
more than tripled, totaling 1,627 nesting pairs. The number of nesting
pairs exceeded the recovery goal of 800 in 1990, and has continued to
increase. Productivity has averaged approximately 1.0 young per nesting
pair since 1990. In 1998, six of the seven Pacific Region States
reported an average success rate of 75 percent. Distribution of nesting
pairs among management zones was achieved in 1999, with the Olympic
Peninsula and Central California Coast meeting their recovery goals.
The Pacific Recovery Plan identifies 47 management zones with recovery
goals identified for 37 of the zones. As of 1999, 30 of the 37 targeted
management zones had met their goals, or 81 percent of the zones. Of
the 30 zones where target levels have been met, at least 11 have more
than doubled the established objective. At least three zones where no
targets were set have one or more nesting pairs of bald eagles.
Data indicate that the objective of stable to increasing trends in
wintering populations of bald eagles has been attained on the average
for the recovery region. Wintering populations have been tracked in the
Pacific and many other States using the mid-winter bald eagle surveys.
Wintering populations are difficult to assess because bald eagle
concentrations depend upon weather and food supply and consequently
will vary from year to year. With these constraints, the information
suggests that Washington, Oregon, Idaho, and California have
experienced an increasing trend in wintering populations of 1.5 to 4.5
percent, while Nevada and Montana report a decline of about 2.5 percent
for 1986-2000. As of 2002, the Pacific Coast Region's counts increased
at 1.6 percent per year, and the Great Basin counts increased 1.3
percent per year (K. Steenhof, pers. comm.).
Southeastern Recovery Region
Delisting Goals: The original recovery plan stated that delisting
would be considered if the recovery trend continues for 5 years after
reclassification goals are met, and the criteria for delisting would be
developed when the species is reclassified from endangered to
threatened. After reclassifying the species to threatened in 1995, the
Southeastern States Bald Eagle Recovery Team reconvened to consider
criteria for delisting. The current recommendations of the recovery
team are to achieve 1,500 occupied breeding areas over the most recent
3-year period, with average productivity of 0.9 young per occupied
breeding area over the same 3-year period, and have 8 of 11 States meet
their nesting and productivity goals.
Achievements: The delisting goal of 1,500 occupied breeding areas
over the most recent 3-year period has been met, with over 1,700 pairs
counted in 2000. Production between 1997 and 2000 averaged 1.24 young
per occupied territory, thus exceeding the 0.9 goal for the last
surveyed consecutive 3-year period. Individual population goals for all
11 States were first attained in 2000, and the population levels have
continued to increase.
Southwestern Recovery Region
Delisting Goals: Although the 1982 recovery plan does not have
delisting goals for the Southwestern Recovery Region, it does outline
goals for reclassifying the bald eagle from endangered to threatened.
The recovery plan states that when the reproductive effort has been
effectively doubled to 10-12 young per year over a 5-year period, and
the population range has expanded to include one or more river
drainages in addition to the Salt and Verde River Systems, the
southwestern bald eagle should be reclassified to threatened. The 1982
recovery plan indicated that Arizona was the only State in the recovery
region containing nesting bald eagles, with 42 unverified historic
nesting territories in the State, 12 occupied territories in the Salt
and Verde River Systems, and 1 occupied territory along the Colorado River.
Achievements: The goal established in the recovery plan has been
exceeded. In 2003, 46 occupied breeding areas were reported in New
Mexico and Arizona alone. In 2004, the State of Arizona had
[[Page 8243]]
41 occupied breeding areas, and productivity was estimated at 0.75
young per occupied breeding area (Terry Johnson, pers. comm.). The number
of occupied breeding areas has more than doubled in the past 15 years.
The information from the five recovery regions demonstrates that
bald eagle numbers have greatly increased and productivity has
substantially improved during the past two decades. The increases have
continued throughout the species' range since publication of the
original July 6, 1999, proposed delisting rule and several States,
notably Wisconsin and Minnesota have changed the status to a species of
special concern. Currently the Service estimates that more than 7,066
occupied breeding areas occur in the lower 48 States.
Summary of Comments on the July 6, 1999, Proposed Delisting Rule
In the July 6, 1999, proposed delisting rule (64 FR 36454), we
requested that all interested parties provide information and comments
on the proposal to delist the bald eagle. Announcements of the proposed
rule were sent to Federal, State, and local officials, Federal and
State agencies, tribes, interested private citizens, and local
newspapers and radio stations. We held public hearings in Nashville,
Tennessee, on September 13, 1999; in Yorktown, Virginia, on September
21, 1999, and in Phoenix, Arizona, on September 23, 1999.
We considered all comments provided in writing, received through
our Web site, and presented orally at the public hearings. The public
hearings were attended by a total of 137 people, who provided 47 oral
comments. Among those submitting comments were 12 Federal agencies, 22
State resource agencies, 41 conservation organizations, 10 academic
institutions, and 213 private citizens. By recovery region, 132
comments were received from the Southwest Region, 79 from the
Chesapeake Bay Region, 35 from the Southeastern Region, 28 from the
Pacific Region, and 22 from the Northern States Region.
In addition, five bald eagle experts from the Raptor Research
Foundation, Inc. volunteered to provide scientific review of the
proposal to delist the bald eagle and they submitted comments during
the public review period. The Raptor Research Foundation, Inc. is an
organization representing approximately 1,200 professional raptor
biologists and scientists throughout the world.
We address both the comments of the Raptor Research Foundation's
five bald eagle experts along with other comments received during the
public comment period under the respective issues below:
Issue 1: Habitat protection for the bald eagle will be reduced once
it is removed from the List of Endangered and Threatened Wildlife. The
Service should develop a strategy to ensure a core amount of nesting,
wintering, and foraging habitat is identified and protected and should
give adequate consideration to the species future management needs.
Our Response: As further discussed under Factor A below, we
recognize that the level of habitat protection for the bald eagle will
be reduced once it is delisted. However, as discussed under Factor D,
the Federal and State laws will continue to provide adequate protection
to bald eagles and their core nesting, wintering, and foraging habitat.
Environmental laws that regulate polluted discharges and fill into
waterways, wetlands, and associated habitats, will contribute to the
protection of bald eagle habitat.
Issue 2: The Service did not adequately enlist the help and advice
of the bald eagle recovery teams, nor did it update or revise the five
recovery plans.
Our Response: Though formal recovery team meetings did not
reconvene, we worked with, and sought the advice of, many of the
individual recovery team members throughout the rulemaking process.
During the rulemaking process, we solicited information from numerous
other sources including the States; bald eagle working groups; Federal,
tribal, and university affiliated biologists; and the public.
Issue 3: Habitat protection objectives in the Chesapeake Bay,
Northern States and Pacific region recovery plans were not addressed.
The draft revised population objectives for the Southeastern Recovery
Region have not been met.
Our Response: All recovery plans state ``that approved recovery
plans are subject to modification as dictated by new findings, changes
in species status, and the completion of recovery tasks.'' The
objectives identified during the recovery planning process provide a
guide for measuring the success of recovery, but are not intended to be
absolute prerequisites, and should not preclude a reclassification or
delisting action if such action is otherwise warranted.
The Northern States and Pacific Recovery Plans did not include
specific habitat protection goals. The Northern States Recovery Plan
instead focused on site-specific and general habitat management. This
management approach has contributed to a population level that is more
than double the number of breeding pairs identified in the delisting
goals. The Pacific Recovery Plan states that if the breeding population
goal is reached, we can assume that adequate breeding habitat has been
secured. The breeding population goal in the Pacific Recovery Plan has
been achieved. The habitat protection goal of the Chesapeake Bay
Recovery Plan has not yet been met. However, as discussed earlier,
between one-half and one-third of the original habitat protection goal
has been met. The bald eagle population is more than double the
population goal and continues to increase and has not yet reached
carrying capacity--indicating that habitat is not a threat to the
maintenance of the population goal for the foreseeable future. The
population objectives for the Southeastern Recovery Region were met in
2000, and numbers in that recovery region continue to increase.
Issue 4: Once the bald eagle is removed from the List of Endangered
and Threatened Species, legal protections for the bald eagle and its
habitat will be reduced or nonexistent. The BGEPA should be
strengthened. Federal and State law enforcement officials should be
informed about the BGEPA.
Our Response: The ESA has been used to provide the primary
regulatory protection for the bald eagle since the listing of the
species. However, after delisting occurs, the protections of the BGEPA
will remain in effect. The BGEPA restrictions and other existing
regulatory mechanisms are discussed under Factor D. We believe these
mechanisms are adequate to protect the species if it is delisted, for
the reasons discussed under Factor D. BGEPA provides indirect habitat
protection, by protecting the bald eagle itself from disturbance.
Through the public comment period on this proposed delisting rule, the
proposed National Bald Eagle Management Guidelines, and the proposed
definition of ``disturb,'' the States will have the opportunity to
review and submit any concerns their law enforcement officials may have
regarding the protections afforded the bald eagle if it is delisted.
Issue 5: The Service should conduct rigorous long-term monitoring
after the species is delisted. The condition and security of habitat
should be assessed every 5 years. The contaminant monitoring outlined
in the discussion of the monitoring plan in the original proposed rule
is also inadequate.
Our Response: We are in the process of updating the post-delisting
[[Page 8244]]
monitoring plan that was included in the 1999 proposed delisting rule
by addressing comments we received, and we will publish a revised draft
monitoring plan for public comments in the near future. We will also
seek peer review of the revised monitoring plan by independent
scientists. The primary objective of the monitoring plan is to monitor
effectively, in cooperation with the States, for not less than 5 years
the status of all species delisted due to recovery. (See ``Monitoring''
section).
Issue 6: The Service should consider establishing minimum criteria
that might signal the need for relisting.
Our Response: The Service has not at this time established any
criteria that might specifically trigger the need to consider
relisting. As required by section 4(g)(1) of the ESA, the Service will
monitor the status of the bald eagle for at least five years after
delisting. If at any time following delisting, information indicates
that the bald eagle may become threatened or endangered, we will evaluate
the need to relist the species in accordance with section 4 of the ESA.
Issue 7: The Service should support the U.S. Geological Survey's
efforts to develop a streamlined protocol for monitoring wintering bald
eagles in the future as part of the post-delisting monitoring plan
under the ESA.
Our Response: We support the U.S. Geological Survey's efforts to
develop a standardized wintering bald eagle monitoring protocol.
However, our goal for bald eagle monitoring after delisting is to
detect significant declines in numbers of breeding pairs in the lower
48 States, and we will be working in cooperation with the U.S.
Geological Survey in developing the post-delisting monitoring plan.
Winter survey results are highly variable; the influx of bald eagles
from Canada and Alaska can make assessment of the breeding population
in the lower 48 States extremely difficult. We believe that our most
reliable and cost-effective approach for detecting population trends in
the lower 48 States is to focus on nest site occupancy. These nest
surveys have been conducted since the bald eagle was listed under the
ESA and form the basis for our determination of recovery. Thus, we
believe that post-delisting monitoring should focus on nest site
occupancy. Until the U.S. Geological Survey's wintering bald eagle
monitoring protocols are completed, the Service will continue working
with the States to monitor breeding pairs and productivity.
Issue 8: The annual census of breeding areas and productivity fails
to provide the demographic information that is necessary to detect
population trends.
Our Response: We disagree. Annual bald eagle breeding area and
productivity surveys to date have been conducted in the majority of the
lower 48 States for more than 15 years and have provided an extensive
database on geographic and National population trends. These surveys
not only monitor performance of known territories, but also document
recruitment of new territories. The results provide a comprehensive
database that clearly demonstrates an increasing population trend.
Issue 9: The Service should initiate shoreline surveys (Chesapeake
Bay).
Our Response: We will monitor bald eagles of the Chesapeake Bay
using the protocols set up in the National post-delisting monitoring
plan under the ESA. The draft monitoring plan will be announced for
public comment in the Federal Register at a later date. States may
choose to conduct more comprehensive monitoring for management purposes
on a State level.
Issue 10: Several commenters recommended retaining threatened or
endangered status for bald eagles in the Southwest and Chesapeake Bay
Recovery Regions, possibly by designation as distinct population segments.
Our Response: Listing under the ESA in taxonomic terms is limited
to species, but the term ``species'' is defined by the ESA to include
any subspecies and any distinct vertebrate population segment. To
facilitate meeting the intent of the law, we and the National Marine
Fisheries Service jointly developed a ``Policy Regarding the
Recognition of Distinct Vertebrate Population Segments under the
Endangered Species Act'' (DPS Policy) (61 FR 4722; February 7, 1996).
Three elements are considered regarding the potential recognition of a
DPS as endangered or threatened. These elements include: discreteness,
defined as being markedly separated from other populations or separated
by international boundaries; significance, defined in terms of the
population segment's importance to its species; and status, defined as
the population's classification as endangered or threatened.
We are not aware of threats specific to any part of the eagle's
range, including the Southwest and Chesapeake Bay Recovery Regions,
that suggest that the bald eagle is likely to become endangered in any
particular geographic area. As discussed above, the bald eagle's
recovery is widespread. Even in the Southwest region, where there has
historically and is currently limited available habitat, the bald eagle
has significantly exceeded the reclassification goals outlined tine the
recovery plan. Therefore, we need not at this time analyze whether any
particular geographic area would constitute a DPS pursuant to our DPS
policy.
Issue 11: Another commenter stated that the Service did not cite
the papers by Dr. Jim Fraser and his colleagues (Fraser et al., 1996)
documenting the impact of human population growth on bald eagles and
indicating a likelihood of extirpation in the Chesapeake Bay area given
present trends in habitat loss. Therefore, the Service should evaluate
the rate of habitat loss in Chesapeake Bay before delisting.
Our Response: The analysis under Factor A has considered the
subject papers. We are aware of development pressure in the Chesapeake
Bay area. However, we disagree with Dr. Fraser about the long-term
prospects for eagle survival in this area. The bald eagle population
numbers continue to increase at a healthy rate in each of the States
covered under this recovery region. During the past decade, we have
added several new National Wildlife Refuges encompassing thousands of
acres of eagle habitat to the refuge system. Newer refuges at James
River and Rappahannock in Virginia, and recent expansions at Blackwater
Refuge in Maryland, are notable examples. In addition, the State of
Maryland will continue to implement the Chesapeake Bay Critical Area
Program (discussed under the ``Regional Recovery Status'' section
above). While any species would benefit by having its entire habitat
permanently protected, such a level of protection is not required to
ensure the long-term persistence of the bald eagle in the Chesapeake
Bay watershed. Bald eagles have not yet reached carrying capacity in
the Chesapeake Bay recovery unit. Because habitat is not currently
limiting the species' population growth, it is likely that the species
will continue to expand into available habitat after delisting.
We recognize that the bald eagle's continued population expansion
will likely cause its population to reach the carrying capacity of the
Chesapeake Bay area. At that point, additional habitat loss may in fact
cause the population to decline from its future peak level to some
degree. Moreover, it is conceivable that at some point in the future,
continued habitat loss could, under certain scenarios, result in the
eagle being in danger of extirpation in the Chesapeake Bay area.
However, having reviewed all of the available information regarding
habitat threats as well as the existing regulatory mechanisms that
[[Page 8245]]
directly or indirectly protect eagle habitat, it is our judgment that
this outcome is not likely in the foreseeable future.
Issue 12: Demographic data show that the Arizona bald eagle
population faces a high likelihood of decline. Mortality of breeding
adults is excessive. Subadults constitute a higher percentage of
breeding eagles than is the case for other populations. Fledgling
mortality is excessive and reproductive rates are below those
characteristic of other eagle populations. Direct human intervention
through the Arizona Bald Eagle Nestwatch Program has saved 16 percent
of all southwestern bald eagle fledglings since 1983; but continuance
of this program is not assured. Some human intervention will be
required to maintain this population.
Our Response: We fully recognize the role that active management of
the bald eagle has played in the Southwest in achieving recovery. With
that said, this population has increased since listing in 1978, and may
have reached its carrying capacity given the extent and nature of
available nesting habitat, and the difficult conditions under which it
nests. We will continue to work with other involved agencies to assure
continuation of existing management and protection regimens, which we
believe will adequately protect the current nesting population.
Issue 13: Threats to the continued existence of the bald eagle in
the southwest are increasing. These threats include habitat loss, river
dewatering, human encroachment through recreation and development,
toxic substances, low-flying aircraft, fishing line entanglement,
grazing, and global warming. The Service has issued a number of biological
opinions that document the perilous status of southwestern bald eagles.
Our Response: We agree that a number of biological opinions have
been issued relevant to the Southwest population of bald eagles.
Section 7 of the ESA requires Federal agencies to ensure that any
action they fund, authorize, or carry out is not likely to jeopardize
the continued existence of listed species. Biological opinions analyze
and document project-level effects to the bald eagle in the context of
the effects on the recovery region and ultimately to the National
population. In other words, the potential effects to the southwestern
or any of the other four populations are considered in terms of whether
they appreciably reduce the likelihood of both survival and recovery of
the bald eagle throughout the lower 48 States, not solely for the
geographic area in which the impacts may occur. In making these
population level determinations, the biological opinions assess the
status of the recovery unit populations. The current status of the
Southwest Recovery Region indicates that population numbers are nearly
equal to the estimated historical occupancy and are expanding into new
watersheds.
Issue 14: No laws other than the ESA provide the necessary
protection for the continued survival of Southwestern bald eagles. Many
of the existing laws the Service plans to rely on were in place when
the bald eagle was listed, thus demonstrating their inadequacy.
Our Response: The primary reason the bald eagle was listed was due
to the catastrophic reproductive failure resulting from the widespread
use of DDT. That major threat has been eliminated since DDT was banned
in 1972. Though it did take some time after the ban for DDT and DDE
(its metabolic breakdown product) to dissipate from the food chain, the
banning of DDT effectively stopped the declining trend. Although the
protective mechanisms of the ESA will no longer apply if the species is
delisted, a number of other laws provide protection to the bald eagle
throughout its range and these protections will continue after
delisting. Many of the current laws and regulations protecting our
environment (such as the Clean Water Act of 1972) were enacted about
the same time as the ESA. We believe that existing laws and
regulations, including the BGEPA and the Migratory Bird Treaty Act,
will provide adequate protection from potential threats to maintain a
recovered population of the bald eagle. (See discussion under Factor D
of the ``Summary of Factors Affecting the Species'' section of this
proposed rule.)
Issue 15: Statements made in the proposed rule that eagles are
thriving on private land, thus implying that they may be adapting to
human presence, remain unsubstantiated.
Our Response: Based on the best available data, we have determined
that bald eagle response to human presence is highly variable. For
example, Florida hosts the largest number of nesting pairs of bald
eagles of any of the lower 48 States, exceeding 1,100 nesting pairs.
Available data indicate that approximately 66 percent of these nest
sites occur on private lands. The remaining 34 percent of these nest
sites occur on publicly owned lands or some form of conservation lands.
In addition, these Florida eagles have shown remarkable adaptation to
human presence and activities and continue to thrive in environments
that, until recently, would have been considered unsuitable habitat.
Issue 16: The Service should initiate a coordinated research effort
and seek funding to investigate the ecology of Avian Brain Lesion
Syndrome in the Southeastern Recovery Region.
Our Response: This disease, now known as Avian Vacuolar
Myelinopathy, is being studied and tracked by the National Wildlife
Health Center in Madison, Wisconsin. This is further discussed under
``Factor C'' of the Summary of Factors Affecting the Species.
Issue 17: The 90-day comment period was not adequate to conduct a
thorough scientific review. The Service should have published a notice
of intent to delist. The Service held too few public hearings, engaged
in too little advertisement about them, and did not allow for extension
of time.
Our Response: We believe the 90-day comment period for the proposed
delisting rule, which exceeded the required 60-day comment period, was
adequate. Prior to the publication of the proposed rule, we solicited
input from numerous entities, including the States, tribes, and many
recovery team members. The number of public hearings was based on the
number of requests we received. We had seven requests for public
hearings, and offered three hearings at locations close to the
requesters' home towns. The advertisements regarding the hearings
followed our standard procedures and included direct coordination with
the requesters. The Service received a few requests for extensions of
the comment period; however, the requests did not provide adequate
justification for an extension. In any case, due to new information we
have now reopened the public comment period on the proposed delisting.
Summary of Factors Affecting the Species
Section 4 of the ESA and the regulations (50 CFR part 424)
promulgated to implement its listing provisions set forth the
procedures for listing, reclassifying, and delisting species. We may
list a species if one or more of the five factors listed in Section
4(a)(1) of the ESA threatens the continued existence of the species. A
species may be delisted, according to 50 CFR 424.11(d), if the best
scientific and commercial data available substantiate that the species
is neither endangered nor threatened for one of the following reasons:
(1) Extinction; (2) recovery; or (3) original data for classification
of the species were in error.
[[Page 8246]]
The bald eagle was proposed for delisting on July 6, 1999. This
notice further indicates our intent to delist and supply more
information to the public than was provided previously. Discussion of
the five listing factors and their application to the recovery of the
bald eagle are discussed below.
A. The Present or Threatened Destruction, Modification or
Curtailment of its Habitat or Range. Nesting, wintering, and foraging
habitat are essential to the continued survival of the bald eagle. The
current increasing population trend clearly indicates that habitat is
not presently limiting the growth of the bald eagle population in the
lower 48 States, that the population has not yet reached carrying
capacity in many parts of its range, and that the population will
continue increasing following delisting. We recognize that the bald
eagle occupies habitats that are often subject to development or other
encroachment in some parts of the range. In addition, we acknowledge
that habitat availability may limit future growth of certain local
populations. The population will likely increase at a much slower rate
than what has been documented during the recovery period. In addition,
population numbers will naturally fluctuate in areas where the habitat
has reached its carrying capacity.
Despite these potential limitations, however, numerous factors
ensure the bald eagle is not likely to become endangered in the
foreseeable future by loss of suitable habitat or range in any of the
five recovery regions. First, the bald eagle thrives near a variety of
different aquatic environments including reservoirs, lakes, rivers,
estuaries, and the marine environment. These environments exist in each
of the lower 48 States, and currently, bald eagles occupy these types
of habitats in 47 out of the 48 States. This tremendous distribution of
bald eagles throughout the entire United States, combined with the
eagles' ability to exploit such a wide range of geographic habitat
settings provides an important buffer against any potential threats to
the population in each recovery region and as a whole.
In addition, information suggests that some individual eagles in
many parts of their range are demonstrating a growing tolerance of
human activities in proximity to nesting and foraging habitats. Eagles
in these situations continue to successfully reproduce in settings
previously considered unsuitable. For example, where our Southeastern
nesting management guidelines have been followed in Florida, some bald
eagles pairs have shown a remarkable adaptation to human presences by
nesting in residential subdivisions, commercial and industrial parks,
on cell phone towers, and alongside expressways. A common thread
throughout these urban landscapes is the availability of ample food
sources such as natural lakes, rivers and ponds, artificial stormwater
retention ponds, and public landfills. As the eagles begin to reach the
carrying capacity in local areas and face development or other
encroachments, it is anticipated that some eagles will adapt to these
circumstances, while other eagles may not be successful. However,
because this species utilizes numerous aquatic environments and many
areas have not yet reached carrying capacity, we expect many of these
displaced eagles will be able to relocate to more suitable habitats.
Additionally, there will continue to be numerous bald eagles
nesting on protected lands, including, but not limited to, National
Wildlife Refuges, National Parks, National Forests, as well as State
management areas, and lands owned by private conservation
organizations. Therefore, a substantial number of bald eagle nesting
territories will remain protected and provide strongholds throughout
the range of the species.
Absent any range-wide, catastrophic impacts such as epidemic
disease or widespread environmental contamination, habitat loss is not
likely to become a limiting factor for the recovery regions or the
national bald eagle population in the foreseeable future, and is not
likely to rise to the level where the bald eagle meets the definition
of either threatened or endangered. Given the existence of suitable
habitat sufficient to support a bald eagle population at a recovered
level into the foreseeable future, the demonstrated increasing levels
of tolerance of some local bald eagle populations to increasing levels
of human disturbance, and continued protections afforded under various
laws described below under Factor D, the bald eagle is not threatened
by present or future destruction, modification, or curtailment of its
habitat or range.
B. Overutilization for Commercial, Recreational, Scientific, or
Educational Purposes. The shooting of bald eagles, and the taking of
their nests and eggs, was prohibited in 1940 with the Bald Eagle
Protection Act. Shooting of bald eagles was prohibited again in 1972,
when eagles were added to the list of birds protected by the MBTA.
Large-scale mortality from unregulated shooting, like that which
occurred early in the last century, has been eliminated. Hunter
education courses include bald eagle identification material to educate
hunters about bald eagles and the protection that the species is
afforded. There is currently a low level of illegal shooting and
commerce in eagle feathers and parts, and it is likely that this level
will continue in the future. We will continue to enforce the
restrictions of BGEPA and MBTA.
There is no legal commercial or recreational use of bald eagles,
and such uses of bald eagles will remain illegal under various
statutes, as described under Factor D below. We consider current laws
and enforcement measures apart from the ESA sufficient to protect the
bald eagle from illegal activities, including trade. We exercise very
strict control over the use of bald eagles or their parts for
scientific, education, and Native American religious activities. To
respond to the religious needs of Native Americans, we established the
National Eagle Repository in Commerce City, Colorado, which serves as a
collection point for dead eagles. As a matter of policy, all Service
units transfer salvaged bald eagle parts and carcasses to this
repository. Members of federally recognized tribes can obtain a permit
from us authorizing them to receive and possess whole eagles, parts, or
feathers from the repository for religious purposes. After removal from
protection under the ESA, we will still have the ability to issue
permits for limited exhibition and education purposes, selected
research work, and other special purposes, including Native American
religious use, consistent with Federal regulations implementing the
BGEPA (50 CFR part 22). We will not issue these permits if they are
incompatible with the preservation of the bald eagle.
In summary, there is no current or anticipated future
overutilization of the bald eagle for commercial, recreational,
scientific, or educational purposes. Such uses will remain regulated
under the BGEPA, the Migratory Bird Treaty Act, and Lacey Act.
C. Disease or Predation. Predation has been documented but it does
not constitute a significant problem for bald eagle populations.
Diseases such as avian cholera, avian pox, aspergillosis,
tuberculosis, and botulism may affect individual bald eagles, as do
parasites such as the Mexican chicken bug, but are not considered to be
a significant threat to overall bald eagle numbers. According to the
National Wildlife Health Center (NWHC) in Madison, Wisconsin, only a
small percentage of bald eagles submitted to the NWHC between 1985 and
2003 died of infectious disease. The species' widespread distribution
[[Page 8247]]
generally helps to protect the bald eagle from catastrophic losses due
to disease.
Since 1994, it is estimated that 104 bald eagles died of avian
vacuolar myelinopathy (AVM). Confirmed cases of bald eagle deaths due
to AVM are recorded in Arkansas, North Carolina, South Carolina, and
Georgia. At present, this disease continues to be investigated. While a
toxic agent is suspected as the cause of this condition, cooperative
efforts are under way to determine the prevalence of this disease and
its origin. These mortalities can have a localized impact on bald eagle
populations; however, there is currently no evidence that the overall
recovery of the species is affected.
In more recent years, the West Nile Virus (WNV) has affected some
individual bald eagles. According to NWHC, between January 2002 and
January 2004, 81 bald eagles were tested for WNV at the Center, and 4
tested positive. Individual States have also conducted tests on dead
bald eagles with an overall small percentage testing positive. For
example, the State of New York annually counts the number of bald
eagles residing in the State. The count has averaged over 300
individual bald eagles each year since 2000, with only two confirmed
cases of WNV. The recovery of the bald eagle should not be affected by
the small percentage of localized cases of WNV.
The NWHC is investigating winter mortality to bald eagles along the
lower Wisconsin River. Unusual mortality to birds wintering in two
counties along the lower Wisconsin River, Wisconsin, began in 1994-1995
with the deaths of at least 14 bald eagles. However, no sick bald
eagles were found at roosts from 10-65 km upriver and 10-150 km
downriver from the affected region, and elsewhere in the State.
Beginning in 2000-2001, after a hiatus of 4 years, similar bald eagle
mortality has reoccurred each winter, with 30 to 40 confirmed cases.
The current hypothesis is that the syndrome is caused by a severe
thiamine deficiency as a result of feeding largely on gizzard shad, but
that hypothesis remains to be adequately tested (G. S. McLauglin et al.
2004, abstract). This syndrome is very localized, and is not having an
impact on the Statewide bald eagle population. Wisconsin's eagle
population has been rising each year since the mid-1980s, with over 830
nesting pairs counted in 2003 (Beheler, WIDNR 2003).
In summary, like all wildlife populations, the bald eagle is
affected by numerous natural and environmentally related diseases, as
well as predation. While these diseases and predation may have
significant impacts on small, local populations, there are no known
natural or environmentally related disease threats that currently have,
or are anticipated to have, widespread impacts on any of the five
recovery regions or the national bald eagle population in the lower 48
States. Therefore, neither predation nor disease constitutes a
significant threat to the bald eagle.
D. The Inadequacy of Existing Regulatory Mechanisms. After removal
from the list of species protected by the ESA, the bald eagle and its
nests and eggs will remain protected in the United States by other
Federal wildlife laws. These statutes will continue to protect and
sustain a recovered bald eagle population within the lower 48 States.
The following discusses the protections that will continue to be
afforded the bald eagle.
The Bald and Golden Eagle Protection Act (BGEPA) (16 U.S.C. 668-
668d) enacted by Congress in 1940, was the first law intended to
prevent extinction of the bald eagle. It prohibits the taking or
possession of and commerce in bald and golden eagles, with limited
exceptions. The law provides significant protections for bald eagles by
prohibiting, without specific authorization, take, possession, selling,
purchase, or bartering, offering to sell, purchase, or barter,
transport, export or import any bald or golden eagle, alive or dead, or
any part, nest, or egg thereof.
Take under the BGEPA is defined as ``to pursue, shoot, shoot at,
poison, wound, kill, capture, trap, collect, molest or disturb'' (16
U.S.C. 668c). Under BGEPA, permits may be issued to take of bald eagles
only for scientific or exhibition purposes, for religious purposes of
Native American tribes, or for the protection of wildlife, agriculture,
or other interests (50 CFR part 22). All other take is prohibited.
Thus, unless permitted for any of the aforementioned activities, any
and all other activities that take bald eagles constitute a violation
of the BGEPA.
Unlike the ESA, which provides exceptions and exemptions to the
prohibitions against take (i.e., via section 7 incidental take
statements, and section 10 incidental take permits) for take resulting
from an ``otherwise lawful activity,'' there is no similar mechanism
expressly available under BGEPA to permit the incidental take of bald
eagles, including take by ``disturbance.''
To help land managers, landowners, and others who conduct
activities in bald eagle habitat avoid a prohibited disturbance of bald
eagles after ESA delisting, the Service has developed draft National
Bald Eagle Management Guidelines. A Notice of Availability to solicit
public input on the draft Guidelines is being published in the Federal
Register concurrent with this proposed delisting rule.
The purposes of the National Bald Eagle Management Guidelines are
to: (1) Publicize the provisions of the BGEPA and the MBTA that
continue to protect bald eagles to reduce the possibility that the law
will be violated, (2) advise landowners, land managers, and the general
public of the potential for various activities to disturb bald eagles,
and (3) encourage land management practices that benefit bald eagles
and their habitat.
Concurrent with this proposed delisting rule and draft National
Bald Eagle Management Guidelines, we are also publishing a proposed
rule in the Federal Register to promulgate a regulatory definition of
``disturb'' to 50 CFR 22.3, part of our regulations that implement the
BGEPA. A regulatory definition of the term ``disturb'' will provide a
clarification of the scope of the BGEPA's prohibitions of take, and
will provide the basis for the recommendations contained in the draft
National Bald Eagle Management Guidelines.
The Migratory Bird Treaty Act (MBTA) (16 U.S.C. 703-712) implements
various treaties and conventions between the U.S. and Canada, Japan,
Mexico, and the former Soviet Union for the protection of migratory
birds. Unless permitted by regulations, the MBTA provides that it is
unlawful to pursue, hunt, take, capture, or kill; attempt to take,
capture or kill; possess, offer to sell, barter, purchase, deliver or
cause to be shipped, exported, imported, transported, carried or received
any migratory bird, part, nest, egg or product, manufactured or not.
In 2001, the President signed Executive Order 13186,
``Responsibilities of Federal Agencies to Protect Migratory Birds''
requiring Federal agencies to incorporate migratory bird conservation
measures into their agency activities. Under the Executive Order, each
Federal agency whose activities may adversely affect migratory birds
was required to enter into a Memorandum of Understanding (MOU) with the
Service, outlining how the agency will promote conservation of
migratory birds. Although the MOUs are still under development, per the
Executive Order, Federal agencies are encouraged to immediately begin
implementing conservation measures.
Specific Federal agency responsibilities addressed in the Executive
Order that could have direct or indirect benefits to bald eagles
[[Page 8248]]
include: Integrating bird conservation principles, measures, and
practices into agency activities; avoiding or minimizing, to the extent
practicable, adverse impacts on migratory bird resources; preventing
detrimental alteration of migratory bird habitat; designing migratory
bird habitat and population conservation into agency plans and planning
processes; and recognizing and promoting economic and recreational
values of birds.
The Lacey Act Amendments of 1981 (16 U.S.C. 3372-3378) make it
unlawful to import, export, transport, buy or sell wildlife taken or
possessed in violation of Federal, State, or tribal law. Interstate or
foreign commerce in wildlife taken or possessed in violation of foreign
law also is illegal. The Lacey Act helps foreign countries and our
individual States enforce their wildlife conservation laws.
The Convention on International Trade in Endangered Species of Wild
Fauna and Flora (CITES) establishes a system of import/export
regulations to prevent the over-exploitation of plants and animals
listed in its three appendices. For species listed under Appendix I,
there is no commercial trade allowed, only import/export for
scientific/propagation purposes, which requires a permit from both the
countries of origin and import. Although Appendix II species may be
commercially traded, a permit is required from the country of export or
re-export, and a permit is only issued if certain conservation
conditions are met.
The bald eagle is currently listed as an Appendix II species.
However, commercial trade is prohibited due to the BGEPA, which
prohibits import and export. Bald eagles are limited to North America--
Canada, the United States, Mexico, and the French Island territories of
St. Pierre and Miquelon. A bald eagle is considered a vagrant when found
in Belize, Bermuda, Ireland, Puerto Rico, and the U.S. Virgin Islands.
Section 101(a) of the Clean Water Act (33 U.S.C. 1251-13287) states
that the objective of this law is to restore and maintain the chemical,
physical, and biological integrity of the Nation's waters and provide
the means to assure the ``protection and propagation of fish, shell
fish, and wildlife'' (section 101(a)(2)). If the bald eagle is
delisted, this statute will continue to contribute in a significant way
to the protection of the species and its food supply through provisions
for water quality standards, protection from the discharge of harmful
pollutants, contaminants (section 303(c), section 304(a), and section
402) and discharge of dredge or fill material into all waters,
including wetlands (section 404).
The Fish and Wildlife Coordination Act (16 U.S.C. 661-666c)
requires that agencies sponsoring, funding, or permitting activities
related to water resource development projects request review by the
Service and the State natural resources management agency. This Act
allows the resource agencies to examine impacts to fish and wildlife
resources from all aspects of the proposed project and to make
recommendations to offset those impacts. These comments must be given
equal consideration with other project purposes.
Another important regulatory mechanism affecting the bald eagle is
the requirement that pesticides be registered with the Environmental
Protection Agency (EPA). Under the authority of the Federal
Insecticide, Fungicide, and Rodenticide Act (7 U.S.C. 136), the EPA
requires environmental testing of new pesticides. It specifically
requires testing the effects of pesticides on representative wildlife
species before a pesticide is registered. It is meant as a safeguard to
avoid the type of environmental catastrophe that occurred from
organochlorine pesticides, such as DDT, that led to the listing of this
species as endangered.
Many States protect the bald eagle under their State wildlife and
endangered species laws. After Federal delisting, many States may
follow suit by removing their special protections for the bald eagle.
Most State laws that protect bald eagles are not as comprehensive as
the ESA; they provide little habitat protection and, therefore, have
generally played a smaller role in protection of eagles while the eagle
has been listed under the ESA. After delisting, those States that also
remove the bald eagle from their State protection laws will continue to
manage the recovered population as they do their other wildlife resources.
In summary, several existing Federal laws and regulations will
continue to provide a limited amount of protection to the recovered
bald eagle population in the lower 48 States. Take of bald eagles will
remain restricted through the BGEPA, the MBTA, and the Lacey Act. The
BGEPA protection of individual bald eagles from disturbance, as defined
in the proposed regulation, will continue to protect the species and
maintain recovered population levels. The National Bald Eagle
Management Guidelines will provide the public with a guide for
complying with the requirements of the BGEPA by avoiding activities
that disturb the bald eagle.
E. Other Natural or Manmade Factors Affecting Its Continued
Existence. Bald eagles have been subjected to direct and indirect
mortality from a variety of human-related activities, for example,
poisoning (including indirect lead poisoning) electrocution, strikes by
wind turbines, collisions with trains and other vehicles, and death and
reproductive failure resulting from exposure to pesticides.
The threat of death and reproductive failure was dramatically
reduced in 1972 when DDT was banned from use in the United States. An
additional step to halt the decline was taken in 1976, when
registrations of dieldrin, heptachlor, chlordane, and other toxic
persistent pesticides were cancelled for all but the most restricted
uses in the United States. Although persistent levels of DDT in the
environment of the Channel Islands (located off the coast of
California) are continuing to affect the reproduction of bald eagles on
the islands, the effects are highly localized and have a negligible
impact on the bald eagle population in the lower 48 States.
By 1977, most uses of polychlorinated biphenyls (PCBs) were
restricted in the United States. Some industrial and commercial
applications where PCBs were used include: Electrical, heat transfer,
and hydraulic equipment; as plasticizers in paints, plastics, and
rubber products; and in pigments, dyes, and carbonless copy paper. More
than 1.5 billion pounds of PCBs were manufactured in the United States
prior to 1977 (U.S. EPA 2004). PCBs do not readily break down and may
persist in the environment for decades. There continues to be a risk of
reproductive failure to individual bald eagles that consume prey that
have accumulated levels of PCBs in their system. However, cases where
PCBs have impaired bald eagle reproductive success are relatively low
and localized. For example, Bowerman (1993) documented lower
reproduction among the bald eagles nesting along the coasts of the
Great Lakes in Michigan compared to those nesting further inland.
Nevertheless, Michigan's bald eagle population has continued to increase.
Mercury is a toxic metal that is emitted into the atmosphere by
industrial activities like coal-fired power generation. It can travel
long distances and can be deposited on the surface of the earth in
remote areas far from the industry emitting the atmospheric mercury.
Mercury that accumulates in soil can be transported to waterways in
runoff and subsurface water flow. Once in the water, mercury begins to
accumulate in the aquatic organisms, with concentrations highest
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at the top of the food chain. Consumption of prey with elevated levels
of mercury can cause a variety of neurological problems in bald eagles.
Flight and other motor skills can be significantly altered (Eisler
1987). Elevated levels of mercury have been reported in bald eagles in
the Northeast, Great Lakes region, Northwest, and Florida. However,
populations of bald eagles continue to increase in each of these areas,
albeit at a slower rate in some; thus mercury exposure seems to have a
negligible impact on the bald eagle population in the lower 48 States.
Lead poisoning has caused death and suffering in birds and other
wildlife for many years. Bald eagles died from lead poisoning as a
result of feeding on hunter killed or crippled waterfowl containing
lead shot and from lead shot that was inadvertently ingested by prey
waterfowl. In 1991, the Service completed its 5-year program to phase
out the use of lead shot for waterfowl hunting (USFWS, Bald Eagle
Biologue (no date)). However, the use of lead sinkers remains legal in
every State except New Hampshire, and could potentially pose a threat
to the bald eagle. According to the National Wildlife Health Center in
Madison, Wisconsin, numerous bald eagles that have succumbed to lead
poisoning are sent to the center each year.
Other causes of injury and mortality to individual bald eagles
continue to exist. Raptor electrocution has been a concern since the
early 1970s. Although power companies are starting to become more
proactive in preventing bird electrocution (USGS, Field Manual of
Wildlife Diseases, 1999), a significant amount of progress is needed
before bird electrocutions are completely prevented.
While structures and vehicles continue to kill or injure individual
birds, and environmental contaminants can cause death or reduced
productivity in local areas, given the geographic range of the bald
eagle and its widespread recovery, these negative impacts appear to
have a negligible effect on regional or national populations.
Therefore, we have determined that these other natural or manmade
factors affecting the bald eagle are not sufficient to cause the bald
eagle to become threatened in the future.
Conclusion of Recovery Analysis and Status Review
In summary, the bald eagle has made a dramatic resurgence from the
brink of extinction. With the protections of the ESA, the banning of
DDT, and cooperative conservation efforts of the Service, States, other
Federal agencies, non-government organizations, and individuals, our
National symbol has recovered and the purposes and policy of the ESA
have been achieved.
Bald eagle recovery goals have generally been met or exceeded for
the species on a rangewide basis. There is no recovery region in the
lower 48 States where we have not seen substantial increases in eagle
numbers. Conversely, there are no sizeable areas where bald eagle
numbers continue to decline. We believe the surpassing of recovery
targets over broad areas and on a regional basis, and the continued
increase in eagle numbers since the 1995 reclassification from
endangered to threatened, effectively compensates for any local
shortfall in meeting targets in a few recovery sub-areas or regions.
We have reviewed the national status of the bald eagle and
evaluated past, present, and future threats to the regional and
national bald eagle populations in the preceding five-factor analysis.
Adequate habitat is available to support existing bald eagles and to
ensure future population growth; disease or predation is not a
significant threat; there is no current or anticipated future
overutilization for commercial, recreational, scientific, or
educational purposes; adequate regulatory mechanisms will remain in
place after delisting to ensure the continued recovery of the bald
eagle; and the level of other natural and manmade factors is not high
enough to threaten the survival of the species. We have determined that
none of these existing or potential threats, either alone or in
combination with others, are likely to cause the bald eagle to become
in danger of extinction within the foreseeable future throughout all or
a significant portion of its range. The bald eagle no longer requires
the protection of the ESA, and therefore, we propose its removal from
the list of threatened and endangered species.
In accordance with our joint peer review policy that was published
in the Federal Register on July 1, 1999 (59 FR 34270), we will solicit
the expert opinions of at least three appropriate and independent
specialists regarding this proposed rule. The purpose of such review is
to ensure that our delisting decision is based on scientifically sound
data, assumptions relating to the taxonomy, population models, and
supportive biological and ecological information on this proposed rule.
We will send copies of this proposed rule to these peer reviewers
immediately following publication in the Federal Register. We will
invite these peer reviewers to comment, during the public comment
period, on the specific assumptions and conclusions regarding the
proposed delisting. We will also solicit peer review on the post-
delisting monitoring plan when the proposed plan is completed.
Effects of This Rule
This rule as proposed will remove the protection afforded the bald
eagle under the Endangered Species Act, including the special rule at
50 CFR 17.41(a). The provisions of the Bald and Golden Eagle Protection
Act and the Migratory Bird Treaty Act (including prohibitions on the
taking of bald eagles) will remain in place. These and other laws
affecting bald eagles are discussed in Factor D above. This rule will
not affect the bald eagle's status as a threatened or endangered
species under State laws or suspend any other legal protections
provided by State law. Critical habitat was not designated for the bald
eagle, so the delisting will not affect critical habitat provisions of
the Act. This rule will not affect the bald eagle's Appendix II status
under CITES.
Post-Delisting Monitoring
Section 4(g)(1) of the ESA requires us, in cooperation with the
States, to implement a monitoring program for not less than 5 years for
all species that have been recovered and delisted. The purpose of this
requirement is to develop a program that detects the failure of any
delisted species to sustain itself without the protective measures
provided by the ESA. If, at any time during the monitoring period, data
indicate that protective status under the ESA should be reinstated, we
can initiate listing procedures, including, if appropriate, emergency
listing.
A monitoring plan was provided in the proposed delisting rule on
July 6, 1999 (64 FR 36454). Slightly more than 10 percent of all
comments we received on the proposed rule were concerned with post-
delisting monitoring and our monitoring proposal. We have been working
with biostatisticians to redevelop our monitoring plan to be responsive
to the comments we received, including extension of the monitoring
period beyond the required 5 years.
The post-delisting monitoring plan will use occupied breeding areas
(territories) as representative of the population. It will contain a
sample design to estimate numbers of occupied territories,
acknowledging that some States will no longer conduct their census-type
survey of bald eagle nesting every year. The occupied territory
estimates will be compared to those at the time of delisting to
determine trends. The sample design, protocol, and estimates for each
recovery region
[[Page 8250]]
will be developed in cooperation with our State partners.
We, in cooperation with the U.S. Geological Survey, Biological
Resources Division and selected States, have recently completed a
series of pilot studies for the monitoring plan. The pilot studies
incorporate the methods traditionally used by the States to monitor
their occupied territories while adding techniques to check accuracy
and reduce variability.
The first pilot study was conducted in cooperation with the State
of Maine in the spring of 2004. We conducted additional pilot studies
in cooperation with the States of Florida, Minnesota, and Washington in
the winter/spring of 2005. All of the general habitat types were
represented in these pilot studies. Based on the results from 2 years
of pilot studies and comments from States, researchers (including peer
review), and the public, a final post-delisting monitoring plan will be
prepared. We anticipate that our revised draft bald eagle post-
delisting monitoring plan will be available for public review in 2006.
Public Comments Solicited
We request comments on three aspects of this proposed rulemaking:
A. Proposed Delisting of the Bald Eagle
We intend any final action resulting from this proposal will be
based on the best available scientific information. Therefore, we
solicit comments or suggestions from the public, other concerned
governmental agencies, the scientific community, industry, or any other
interested party concerning this proposed rule. We do not anticipate
extending or reopening the comment period on this proposed rule after
this comment period ends (see DATES). We are particularly seeking
comments concerning:
(1) Biological, commercial, trade, or other relevant data
concerning any threat (or lack thereof) to the bald eagle;
(2) Additional information on the range, distribution, and
population size of the bald eagle and its habitat;
(3) The location of any additional populations of the bald eagle;
(4) Data on population trends.
All previous comments and information submitted during the initial
comment period on the July 6, 1999, proposed rule need not be
resubmitted. We will take into consideration the comments and any
additional information received, and such communications may lead to a
final determination that differs from the proposal.
If you wish to provide comments and/or information, you may submit
your comments and materials concerning this proposed rule by any one of
several methods (see ADDRESSES section). Please submit Internet
comments to baldeagledelisting@fws.gov in ASCII file format and avoid
the use of special characters or any form of encryption. Please also
include ``Attn: RIN 1018-AF21'' in your e-mail subject header, and your
full name and return address in the body of your message. Please note
that the Internet address baldeagledelisting@fws.gov will be closed at
the termination of the public comment period.
Our practice is to make comments, including names and home
addresses of respondents, available for public review during regular
business hours. Comments and materials related to this rulemaking will
be available for public inspection, by appointment, during normal
business hours at the above address (see ADDRESSES section). Individual
respondents may request that we withhold their home addresses from the
rulemaking record, which we will honor to the extent allowable by law.
There also may be circumstances in which we would withhold from the
rulemaking record a respondent's identity, as allowable by law. If you
wish us to withhold your name and/or address, you must state this
prominently at the beginning of your comment. However, we will not
consider anonymous comments. We will make all submissions from
organizations or businesses, and from individuals identifying
themselves as representatives or officials of organizations or
businesses, available for public inspection in their entirety.
We anticipate a large public response to this proposed rule. After
the comment period closes, we will organize the comments and materials
received and make them available for public inspection, by appointment,
during normal business hours at the above address (see ADDRESSES section).
B. Executive Order 12866
Executive Order 12866 requires agencies to write regulations that
are easy to understand. We invite your comments on how to make this
proposal easier to understand including answers to questions such as
the following: (1) Is the discussion in the SUPPLEMENTARY INFORMATION
section of the preamble helpful in understanding the proposal? (2) Does
the proposal contain technical language or jargon that interferes with
its clarity? (3) Does the format of the proposal (grouping and order of
sections, use of headings, paragraphing, etc.) aid or reduce its
clarity? What else could we do to make the proposal easier to understand?
C. Paperwork Reduction Act
Office of Management and Budget (OMB) regulations at 5 CFR 1320,
which implement provisions of the Paperwork Reduction Act of 1995 (Pub.
L. 104-13, 44 U.S.C. 3501 et seq.), require that interested members of
the public and affected agencies have an opportunity to comment on
agency information collection and recordkeeping activities (see 5 CFR
11320.8(d)). The OMB regulations at 5 CFR 1320.3(c) define a collection
of information as the obtaining of information by or for an agency by
means of identical reporting, recordkeeping, or disclosure requirements
imposed on ten or more persons. Furthermore, 5 CFR 1320.3(c)(4)
specifies that ``ten or more persons'' refers to the persons to whom a
collection of information is addressed by the agency within any 12-
month period. We will submit the final post-delisting monitoring plan
to OMB for approval under the Paperwork Reduction Act.
National Environmental Policy Act
We have determined that an Environmental Assessment or an
Environmental Impact Statement, as defined under the authority of the
National Environmental Policy Act of 1969, need not be prepared in
connection with regulations adopted pursuant to section 4(a) of the
Endangered Species Act of 1973, as amended. We published a notice
outlining our reasons for this determination in the Federal Register on
October 25, 1983 (48 FR 49244).
Executive Order 13211
On May 8, 2001, the President issued an Executive Order on
regulations that significantly affect energy supply, distribution, and
use. Executive Order 13211 requires agencies to prepare Statements of
Energy Effects when undertaking certain actions. As this proposed rule
is not expected to significantly affect energy supplies, distribution,
or use, this action is not a significant energy action and no Statement
of Energy Effects is required.
References Cited
A complete list of all references cited herein is available upon
request from the Headquarters Office (see ADDRESSES section).
Author
The co-authors of this proposed rule are Jody Gustitus Millar, U.S.
Fish &
[[Page 8251]]
Wildlife Service, Rock Island Field Office and Diane Lynch, U.S. Fish &
Wildlife Service, Northeast Regional Office.
List of Subjects in 50 CFR Part 17
Endangered and threatened species, Exports, Imports, Reporting and
recordkeeping requirements, and Transportation.
Proposed Regulation Promulgation
Accordingly, as first proposed July 6, 1999, at 64 FR 36454, we
propose to amend part 17, subchapter B of chapter I, Title 50 of the
Code of Federal Regulations, as set forth below:
PART 17--[AMENDED]
1. The authority citation for part 17 continues to read as follows:
Authority: 16 U.S.C. 1361-1407; 16 U.S.C. 1531-1544; 16 U.S.C.
4201-4245; Pub. L. 99-625, 100 Stat. 3500; unless otherwise noted.
Sec. 17.11 [Amended]
2. Section 17.11(h) is amended by removing the entry for ``Eagle,
bald'' under ``BIRDS'' from the List of Endangered and Threatened Wildlife.
Sec. 17.41 [Amended]
3. Section 17.41 is amended by removing and reserving paragraph (a).
Dated: October 31, 2005.
H. Dale Hall,
Director, Fish and Wildlife Service.
[FR Doc. 06-1442 Filed 2-15-06; 8:45 am]
BILLING CODE 4310-55-P