[Federal Register Volume 81, Number 41 (Wednesday, March 2, 2016)]
[Notices]
[Pages 10830-10842]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2016-04537]
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
RIN 0648-XA937
Guidelines for Assessing Marine Mammal Stocks
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Notice of availability; response to comments.
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SUMMARY: NMFS has incorporated public comments into revisions of the
guidelines for preparing stock assessment reports (SARs) pursuant to
section 117 of the Marine Mammal Protection Act (MMPA). The revised
guidelines are now complete and available to the public.
ADDRESSES: Electronic copies of the guidelines are available on the
Internet at the following address: http://www.nmfs.noaa.gov/pr/sars/guidelines.htm.
FOR FURTHER INFORMATION CONTACT: Shannon Bettridge, Office of Protected
Resources, 301-427-8402, [email protected].
SUPPLEMENTARY INFORMATION:
Background
Section 117 of the Marine Mammal Protection Act (MMPA) (16 U.S.C.
1361 et seq.) requires NMFS and the U.S. Fish and Wildlife Service
(FWS) to prepare stock assessments for each stock of marine mammals
occurring in waters under the jurisdiction of the United States. These
reports must contain information regarding the distribution and
abundance of the stock, population growth rates and trends, estimates
of annual human-caused mortality and serious injury from all sources,
descriptions of the fisheries with which the stock interacts, and the
status of the stock. Initial stock assessment reports (SARs, or
Reports) were first completed in 1995.
NMFS convened a workshop in June 1994, including representatives
from NMFS, FWS, and the Marine Mammal Commission (Commission), to
develop draft guidelines for preparing SARs. The report of this
workshop (Barlow et al., 1995) included the guidelines for preparing
SARs and a summary of the discussions upon which the guidelines were
based. The draft guidelines were made available, along with the initial
draft SARs, for public review and comment (59 FR 40527, August 9,
1994), and were finalized August 25, 1995 (60 FR 44308).
In 1996, NMFS convened a second workshop (referred to as the
Guidelines for Assessing Marine Mammal Stocks, or ``GAMMS,'' workshop)
to review the guidelines and to recommend changes to them, if
appropriate. Workshop participants included representatives from NMFS,
FWS, the Commission, and the three regional scientific review groups
(SRGs). The report of that workshop (Wade and Angliss, 1997) summarized
the discussion at the workshop and contained revised guidelines. The
revised guidelines represented minor changes from the initial version.
The revised guidelines were made available for public review and
comment along with revised stock assessment reports on January 21, 1997
(62 FR 3005) and later finalized.
In September 2003, NMFS again convened a workshop (referred to as
GAMMS II) to review the guidelines and again recommend minor changes to
them. Participants at the workshop included representatives of NMFS,
FWS, the Commission, and the regional SRGs. Changes to the guidelines
resulting from the 2003 workshop were directed primarily toward
identifying population stocks and estimating Potential Biological
Removal (PBR) for declining stocks of marine mammals. The revised
guidelines were made available for public review and comment on
November 18, 2004 (69 FR 67541) and finalized on June 20, 2005 (70 FR
35397, NMFS 2005).
In February 2011, NMFS convened another workshop (referred to as
GAMMS III) to review the guidelines and again recommend changes to
them. Participants at the workshop included representatives from NMFS,
FWS, the Commission, and the three regional SRGs. The objectives of the
GAMMS III workshop were to (1) consider methods for assessing stock
status (i.e., how to apply the PBR framework) when abundance data are
outdated, nonexistent, or only partially available; (2) develop
policies on stock identification and application of the PBR framework
to small stocks, transboundary stocks, and situations where stocks mix;
and (3) develop consistent national approaches to a variety of other
issues, including reporting mortality and serious injury information in
assessments. Nine specific topics were discussed at the workshop. The
deliberations of these nine topics resulted in a series of recommended
modifications to the current guidelines (NMFS, 2005). The main body of
the GAMMS III workshop report includes summaries of the presentations
and discussions for each of the nine agenda topics, as well as
recommended revisions to individual sections of the guidelines (Moore
and Merrick, 2011). Appendices to the workshop report provide a variety
of supporting documents, including the full proposed revision of the
guidelines (Appendix IV). On January 24, 2012 (77 FR 3450), NMFS made
the GAMMS III workshop report available for public review, and
requested comment on the proposed revisions in Appendix IV. The report
is available at http://www.nmfs.noaa.gov/pr/pdfs/sars/gamms3_nmfsopr47.pdf.
[[Page 10831]]
Revisions to the Guidelines for Preparing Stock Assessment Reports
The paragraphs below describe the proposed guideline revisions that
were recommended by the GAMMS III workshop participants, as well as a
summary of how NMFS has or has not incorporated those proposed
revisions into the final revised guidelines. They are organized by
topic, as outlined in Appendix IV of the GAMMS III workshop report.
Topic 1: PBR calculations with outdated abundance estimates. For an
increasing number of marine mammal stocks, the most recent abundance
estimates are more than 8 years old. Under existing guidelines (NMFS,
2005), these are considered to be outdated and thus not used to
calculate PBR. The current practice is to consider the PBR for a stock
to be ``undetermined'' after supporting survey information is more than
eight years old, unless there is compelling evidence that the stock has
not declined during that time.
The workshop participants recommended and the proposed guidelines
included the following revisions to calculate PBRs for stocks with old
abundance information: (1) During years 1-8 after the most recent
abundance survey, ``uncertainty projections'' would be used, based on
uniform distribution assumptions, to serially reduce the minimum
abundance estimate (Nmin) by a small increment each year;
(2) after eight years, and assuming no new abundance estimate has
become available, a worst-case scenario would be assumed (i.e., a
plausible 10-percent decline per year since the most recent survey),
and so a retroactive 10-percent decline per year would be applied; and
(3) if data to estimate a population trend model are available, such a
model could have been used to influence the uncertainty projections
during the first eight years.
NMFS received a number of comments expressing strenuous objection
to/concern with the proposed framework for stocks with outdated
abundance estimates, which has led us to reevaluate the topic. As such,
NMFS is not finalizing these recommended changes related to Topic 1 at
this time. Rather, we will be further analyzing this issue, and should
we contemplate changes to the guidelines regarding this topic, NMFS
will propose them and solicit public comment in a separate action.
Topic 2: Improving stock identification. For most marine mammal
species, few stock definition changes have been made since the initial
SARs were written. The proposed guidelines directed that each Report
state in the ``Stock Definition and Geographic Range'' section whether
it is plausible the stock contains multiple demographically independent
populations that should be separate stocks, along with a brief
rationale. If additional structure is plausible and human-caused
mortality or serious injury is concentrated within a portion of the
range of the stock, the Reports should identify the portion of the
range in which the mortality or serious injury occurs. These revisions
to the guidelines have been made.
The GAMMS III workshop also addressed the terms ``demographic
isolation'' and ``reproductive isolation.'' Workshop participants
agreed that the intended meaning of these terms when originally
included in the guidelines was not of complete isolation, which implies
that there should be no interchange between stocks. Therefore, they
recommended and the proposed guidelines included clarification of
terminology by replacing references to ``demographic isolation'' and
``reproductive isolation'' with ``demographic independence'' and
``reproductive independence,'' respectively. These revisions to the
guidelines have been made.
Related to this topic, the workshop participants also recommended
that NMFS convene a national workshop to systematically review the
status of stock identification efforts and to identify and prioritize
the information needed to improve stock identification. NMFS convened
such a workshop in August 2014 (Martien et al., 2015). See response to
Comment 10.
Topic 3a: Assessment of very small stocks. The PBR estimate for
some stocks may be very small (just a few animals or even less than
one). In such cases, low levels of observer coverage may introduce
substantial small-sample bias in bycatch estimates. The proposed
guideline revisions included a table in the Technical Details section
that provides guidance on the amount of sampling effort (observer
coverage and/or number of years of data pooling) required to limit
small-sample bias, given a certain PBR level. If suggested sampling
goals (per the table) cannot be met, the proposed guidelines instructed
that mortality should be estimated and reported, but the estimates
should be qualified in the SARs by stating they could be biased. NMFS
has incorporated this language into the revised guidelines.
The proposed guidelines suggested removing the following sentence
from the Status of Stocks section: ``In the complete absence of any
information on sources of mortality, and without guidance from the
Scientific Review Groups, the precautionary principle should be
followed and the default stock status should be strategic until
information is available to demonstrate otherwise.'' NMFS has
incorporated this revision into the guidelines, as NMFS does not
consider the original text to be consistent with the MMPA's definition
of ``strategic.''
Topic 3b: Assessment of small endangered stocks. Some endangered
species, like Hawaiian monk seals, are declining with little to no
direct human-caused mortality, and the stock's dynamics therefore do
not conform to the underlying model for calculating PBR. Thus, PBR
estimates for some endangered species stocks have not been included or
have been considered ``undetermined'' in SARs. The proposed guidelines
instructed that in such cases, if feasible, PBR should still be
calculated and included in the SARs to comply with the MMPA. In
situations where a stock's dynamics do not conform to the underlying
model for calculating PBR, a qualifying statement should accompany the
PBR estimate in the SAR. NMFS has incorporated this language into the
revised guidelines.
Topic 4: Apportioning PBR across feeding aggregations, allocating
mortality for mixed stocks, and estimating PBR for transboundary
stocks.
Feeding aggregations: Given the definition that a population stock
consists of individuals in common spatial arrangements that interbreed
when mature, population stocks of species that have discrete feeding
and breeding grounds (e.g., humpback whales) have generally been
defined based on breeding ground stocks. However, given the strong
maternal fidelity to feeding grounds, migratory species such as
humpback whales can have feeding aggregations that are demographically
independent with limited movement of individuals between feeding
aggregations. Such feeding aggregations can consist of a portion of one
breeding population, or of portions of multiple breeding populations,
and can represent a single demographically-independent unit, or a mix
of two or more demographically-independent units. Although this
approach of identifying stocks based on feeding aggregations seemed
feasible, workshop participants felt this approach added significant
complexity without providing substantial management advantages. The
workshop participants did not recommend any such changes to the
guidelines at this point. None were
[[Page 10832]]
included in the proposed guidelines nor have any been made in the final
revisions.
Allocating mortality for mixed stocks: In some cases, mortality and
serious injury occur in areas where more than one stock of marine
mammals occurs. The proposed guidelines specify that when biological
information is sufficient to identify the stock from which a dead or
seriously injured animal came, the mortality or serious injury should
be associated only with that stock. When one or more deaths or serious
injuries cannot be assigned directly to a stock, then those deaths or
serious injuries may be partitioned among stocks within the appropriate
geographic area, provided there is sufficient information to support
such partitioning. In those cases, Reports should discuss the potential
for over- or under-estimating stock-specific mortality and serious
injury. In cases where mortalities and serious injuries cannot be
assigned directly to a stock and available information is not
sufficient to support partitioning those deaths and serious injuries
among stocks, the proposed guidelines instruct that the total
unassigned mortality and serious injuries should be assigned to each
stock within the appropriate geographic area. When deaths and serious
injuries are assigned to each overlapping stock in this manner, the
Reports should discuss the potential for over-estimating stock-specific
mortality and serious injury. NMFS has incorporated this language into
the revised guidelines.
Transboundary stocks: The proposed guidelines strengthen the
language regarding transboundary stocks, cautioning against
extrapolating abundance estimates from one surveyed area to another
unsurveyed area to estimate range-wide PBR. They state that informed
interpolation (e.g., based on habitat associations) may be used, as
appropriate and supported by existing data, to fill gaps in survey
coverage and estimate abundance and PBR over broader areas. If
estimates of mortality or abundance from outside the U.S. EEZ cannot be
determined, PBR calculations should be based on abundance in the EEZ
and compared to mortality within the EEZ. NMFS has incorporated this
language into the revised guidelines and has provided a footnote
defining informed interpolation.
Topic 5: Clarifying reporting of mortality and serious injury
incidental to commercial fishing. Currently, SARs do not consistently
summarize mortality and serious injury incidental to commercial
fishing. The proposed guidelines specified that SARs should include a
summary of all human-caused mortality and serious injury including
information on all sources of mortality and serious injury.
Additionally, a summary of mortality and serious injury incidental to
U.S. commercial fisheries should be presented in a table, while
mortality and serious injury from other sources (e.g., recreational
fisheries, other sources of human-caused mortality and serious injury
within the U.S. EEZ, foreign fisheries on the high seas) should be
clearly distinguished from U.S. commercial fishery-related mortality.
Finally, the proposed guidelines contained the addition of a subsection
summarizing the most prevalent potential human-caused mortality and
serious injury threats that are unquantified in the SARs, and the SARs
should also indicate if there are no known major sources of
unquantifiable human-caused mortality and serious injury. NMFS has
incorporated this language into the revised guidelines.
Topic 6: When stock declines are sufficient for a strategic
designation. The proposed guidelines included the following: ``Stocks
that have evidence suggesting at least a 50 percent decline, either
based on previous abundance estimates or historical abundance estimated
by back-calculation, should be noted in the Status of Stocks section as
likely to be below OSP. The choice of 50 percent does not mean that OSP
is at 50 percent of historical numbers, but rather that a population
below this level would be below OSP with high probability. Similarly, a
stock that has increased back to levels pre-dating the known decline
may be within OSP; however, additional analyses may determine a
population is within OSP prior to reaching historical levels.'' NMFS
has incorporated this language into the revised guidelines.
Additionally, the workshop participants recommended and the
proposed guidelines included the following interpretation of the
definition of a strategic stock: ``A stock shall be designated as
strategic if it is declining and has a greater than 50 percent
probability of a continuing decline of at least five percent per year.
Such a decline, if not stopped, would result in a 50 percent decline in
15 years and would likely lead to the stock being listed as threatened.
The estimate of trend should be based on data spanning at least eight
years. Alternative thresholds for decline rates and duration, as well
as alternative data criteria, may also be used if sufficient rationale
is provided to indicate that the decline is likely to result in the
stock being listed as threatened within the foreseeable future. Stocks
that have been designated as strategic due to a population decline may
be designated as non-strategic if the decline is stopped and the stock
is not otherwise strategic.'' NMFS received comments expressing concern
with the proposed interpretation of ``likely to be listed as a
threatened species under the ESA within the foreseeable future'' (sec.
3(19)(B) of the MMPA). NMFS is not finalizing the proposed changes
related to this topic at this time. Rather, we will further analyze
this issue. Should we contemplate changes to the guidelines regarding
this topic, NMFS will propose them and solicit public comment in a
separate action.
The proposed guidelines included the following direction regarding
recovery factors for declining stocks: ``A stock that is strategic
because, based on the best available scientific information, it is
declining and is likely to be listed as a threatened species under the
ESA within the foreseeable future (sec. 3(19)(B) of the MMPA) should
use a recovery factor between 0.1 and 0.5.'' As we are not finalizing
the recommended changes regarding strategic stock designation (sec.
3(19)(B) of the MMPA), above, we have decided not to revise the
guidelines regarding recovery factors under such situations at this
time. Should changes to the guidelines regarding the above be
contemplated, NMFS will include the recommended recovery factors when
we solicit public comment on that action. Therefore, NMFS is not
finalizing the recommended change related to this paragraph at this
time.
Topic 7: Assessing stocks without abundance estimates or PBR. For
many stocks, data are so sparse that it is not possible to produce an
Nmin and not possible to estimate PBR. When mortality and/or
population abundance estimates are unavailable, the PBR approach cannot
be used to assess populations, in spite of a statutory mandate to do
so. The proposed guidelines included the following addition to the
Status of Stocks section: ``Likewise, trend monitoring can help inform
the process of determining strategic status.'' NMFS has incorporated
this language into the revised guidelines.
Topic 8: Characterizing uncertainty in key SAR elements. It is
difficult to infer the overall uncertainty for key parameters as they
are currently reported in the SARs. The proposed guidelines direct that
the Stock Definition and Geographic Range, Elements of the PBR Formula,
Population Trend, Annual Human-Caused Mortality and Serious Injury,
[[Page 10833]]
and Status of the Stock sections include a description of key
uncertainties associated with parameters in these sections and an
evaluation of the effects of these uncertainties associated with
parameters in these sections. NMFS has incorporated this language into
the revised guidelines with some minor revisions.
Topic 9: Including non-serious injuries and disturbance in SARs.
Currently, many Reports include information on human-related mortality
and serious injury from all known sources (not just from commercial
fisheries) but do not include information on human-related non-serious
injury or disturbance. The workshop participants concluded that the
guidelines, with respect to the scope of content considered by the
SARs, could be retained as they currently stand. However, they
encouraged authors to routinely consider including information in the
Reports about what ``other factors'' may cause a decline or impede
recovery of a particular stock. A final recommended revision to the
guidelines was the addition of the following italicized text: ``The
MMPA requires for strategic stocks a consideration of other factors
that may be causing a decline or impeding recovery of the stock,
including effects on marine mammal habitat and prey, or other lethal or
non-lethal factors.'' However, this italicized text is not contained in
the MMPA, and therefore, as proposed could be misconstrued as being
required by the MMPA. Therefore, the revision to the guidelines has
been reworded for clarity.
Comments and Responses
NMFS solicited public comments on the proposed revisions to the
guidelines (January 24, 2012, 77 FR 3450), contained in Appendix IV of
the GAMMS III workshop report. NMFS received comments from the
Commission, the three regional SRGs, two non-governmental environmental
organizations (Humane Society of the United States and Center for
Biological Diversity), representatives from the fishing industry
(Western Pacific Regional Fishery Management Council, Garden State
Seafood Association, Maine Lobstermen's Association, Hawaii Longline
Association, Cape Cod Hook Fishermen's Association, and two
individuals), the American Veterinary Medical Association, the States
of Maine and Massachusetts, the Makah Indian Tribe, the Center for
Regulatory Effectiveness, representatives from the oil and gas industry
(American Petroleum Institute, International Association of Geophysical
Contractors, and Alaska Oil and Gas Association), and one individual.
NMFS received a number of comments supporting its efforts to
improve stock identification (topic 2). Many commenters urged NMFS to
prioritize conducting regular surveys for those species with the
greatest human-caused mortality or oldest survey data. Many commenters
disagreed with NMFS' proposals to use a precautionary approach with
aging abundance estimates (topic 1) and apportion PBR and serious
injuries and mortalities (topic 4). Comments on actions not related to
the GAMMS (e.g., convening a Take Reduction Team or listing a marine
mammal species under the Endangered Species Act (ESA)), or on items not
related to portions of the guidelines finalized in this action, are not
included below. Comments and responses are organized below according to
the relevant workshop topics outlined in Appendix IV of the report.
Comments on General Issues
Comment 1: The Commission recommended that NMFS continue to
encourage more exchange between regional SRGs to ensure consistency
where needed and to promote useful and informative exchange among them.
Response: NMFS acknowledges this comment and will continue to
encourage exchange between SRGs and strive to ensure consistency among
the groups and among the SARs. To that end, we are convening a joint
meeting of the three SRGs in February 2016, in addition to individual
SRG meetings.
Comment 2: The Commission recommended that NMFS consider requiring
a brief summary paragraph or table on the historical trend of each
stock in the SARs, where appropriate, to combat the tendency to exclude
important stock dynamics or allow for the shifting baselines
phenomenon.
Response: It is unclear from the comment what historical trend
information, specifically, the Commission is referencing that is not
already provided in the SARs. Where able, we provide historical
abundance data and estimate trends in abundance (see for example, the
California sea lion SAR, which provides abundance data for the prior
four decades). With respect to bycatch, we do not think it is feasible
or appropriate to provide trends in bycatch rates over decades, as
fisheries and monitoring programs change too frequently. The status of
each stock is informed by current parameters, such as ESA listing
status and relationship to OSP and PBR. Additionally, the statute
specifies that the SARs provide current population trend information.
We will continue to endeavor to provide as much historical abundance,
trend, and human-related removal information (for example, historical
whaling data as it relates to stock recovery and OSP, see Eastern North
Pacific blue whale report) as possible, but at this time will not
require a summary table or paragraph in each SAR.
Comment 3: NMFS should secure adequate support and funding to
conduct marine mammal abundance surveys in the region at least every
five years. Alternative cost-effective approaches to determining
Nmin, such as trend data from index sites, should be
developed and specified as acceptable methods in the guidelines.
Response: NMFS agrees that such a schedule would be ideal, but we
do not currently have the resources to accomplish this. We continue to
develop and implement strategies to support more efficient use of ship
time through multi-species ecosystem studies, better survey designs and
sampling technologies, and leveraging inter- and intra-agency
resources. NMFS is also exploring alternative approaches for assessing
stock status (e.g., through use of unmanned systems and acoustic
technologies) apart from reliance on abundance survey data, in regions
where regular surveys are cost-prohibitive. As noted in the workshop
report, such approaches could include trend monitoring at index sites.
Developing guidelines for alternative assessment methods was not a
focus of the GAMMS III workshop, and so this does not appear in the
revisions finalized here. However, NMFS will make efforts to consider
how alternative sets of information could be used to aid its marine
mammal stock assessments.
Comment 4: The effective management of marine mammals requires
timely and accurate stock status information that is currently lacking.
The proposed assumption that the existing measures protecting marine
mammal species are failing to achieve management objectives and the
continued use of old data to assess the status of stocks are
unacceptable and fail to acknowledge collective efforts to reconcile
marine mammal protection with varied ocean uses. NMFS should more
frequently assess the status of marine mammal stocks and incorporate
this new information into management actions.
Response: NMFS agrees that management of marine mammal stocks
depends on timely and accurate stock information, and in many cases up-
to-date stock assessments are not available, nor are the resources
necessary to
[[Page 10834]]
conduct the assessment. NMFS acknowledges that the reliability of
abundance estimates for calculating PBR is reduced over time. The
proposed approach to calculating PBR with outdated abundance
information assumed the worst-case scenario, but we are not finalizing
that approach at this time. Accordingly, NMFS is analyzing methods to
calculate PBRs for stocks with outdated abundance information as well
as developing methods to collect data more efficiently and cost
effectively. See response to Comment 3.
Comment 5: The Alaska SRG expressed concern that very different
approaches are taken for PBR and mortality components of SARs. A great
deal of modeling effort and simulations has gone into making the PBR
calculations conservative, but there is no similar concern for the
mortality and serious injury data. In some of the Alaska SARs, 20+
year-old observer data are the only mortality data for a particular
fishery. The nature of Alaska fisheries can change quite quickly, so
Alaska SRG members strongly object to using such old data. The
reliability of removals data is just as important as population data
when assessing stock status. This issue merits serious attention, and
as a first step, the quality of removals data should be thoroughly and
explicitly evaluated when uncertainty in SARs is evaluated.
Response: NMFS acknowledges that many of the data related to Alaska
marine mammal stocks are dated. NMFS continues to rely upon and
incorporate the best available data in the SARs, but in some cases
these data are many years old. The revised guidelines instruct SAR
authors to describe uncertainties in key factors, including human-
caused mortality and serious injury, and to evaluate the effects of
those uncertainties.
Comment 6: The proposed changes do not reflect an agency commitment
to generating best available science upon which to base its decisions.
In fact, this rule contains no statements as to what the agency intends
to do with respect to old or non-existent assessments other than to
reduce PBR. We request the agency comment for the record specifically
how NOAA intends to address the GAMMS III stated need for accurate and
timely census data.
Response: The MMPA requires that NMFS and FWS use the best
available scientific information in its assessment and management of
marine mammal stocks. NMFS strives to collect the data necessary for
timely stock assessments in a cost-efficient manner, but agency
resources are limited, and there are instances where data are either
too old or non-existent. We are currently analyzing how to calculate
PBR when data are outdated.
Comment 7: We appreciate NMFS' efforts to improve stock
identification, small stock biases, non-serious injuries, and institute
other SAR enhancements, and encourage NMFS to incorporate veterinary
expertise relative to marine mammal population, health, and ecosystem
conservation status.
Response: NMFS acknowledges this comment. NMFS continues to
incorporate and rely upon veterinary expertise in activities related to
stock assessment; for example, the development of the serious injury
determination policy and procedures, and response to stranded animals
and UMEs.
Comment 8: Several of the GAMMS III recommendations require more
explanations and verbiage to be added to the SARs (e.g., Topics 2, 5,
8, and 9).
Response: NMFS recognizes that the recommendations require
additional text to be added to the SARs. We strive to maintain the
conciseness of the SARs while providing best available science and
meeting the directive of MMPA section 117(a).
Comment 9: NMFS should produce a record showing that the guidelines
and GAMMS Report comply with the Information Quality Act (IQA) Pre-
dissemination review requirements as follows: (1) All models that the
guidelines or GAMMS Report use should be peer reviewed in order to
determine their compliance with Council for Regulatory Environmental
Modeling Guidance; (2) the method used by the guidelines and GAMMS
Report to estimate population uncertainty violates the IQA accuracy and
reliability requirement; and (3) the guidelines and GAMMS Report
violate the IQA accuracy and reliability requirements by telling staff
to make up abundance data and PBR when measured data do not exist
(``informed interpolation''). In addition, NMFS should revise the
guidelines and GAMMS Report to delete any suggestion that marine mammal
SARs should discuss oil and gas seismic effects, as oil and gas seismic
operations do not cause mortality or serious injury to marine mammals
and do not cause a decline or impede recovery of any strategic stock.
Response: The GAMMS report referenced by the commenter is a summary
of the proceedings of a workshop and was reviewed for accuracy prior to
dissemination. We did not solicit comments nor are we responding to
comments on the workshop report itself. The guidelines also underwent
IQA pre-dissemination review prior to being finalized and released to
the public. There is no requirement under the NOAA or OMB Information
Quality Guidance to explain within the guidelines themselves how they
have met IQA requirements.
The marine mammal SARs are based on the best available science.
NMFS strives to use peer-reviewed data as the basis for reports.
However, in some cases, the best available science may not have been
published or subjected to a juried professional journal review, as this
process can take months or years to complete. In other cases, data
pertinent to assessments of stocks are routinely collected and analyzed
but are not suitable for a stand-alone external peer-reviewed
publication. Therefore, NMFS often relies on science that has been
through a NMFS Science Center's internal expert review process and/or
has been subjected to other internal or external expert review to
ensure that information is not only high quality but is available for
management decisions in a timely fashion. In these cases, all NOAA-
authored literature should meet, at the least, the standards for
Fundamental Research Communications established by the NOAA Research
Council and by NMFS. NMFS may rely on the SRGs to provide independent
expert reviews of particular components of new science to be
incorporated into the SARs to ensure that these components constitute
the best available scientific information. Likewise, upon SRG review of
these components and the draft SARs themselves, NMFS considers the SRG
review of the draft SARs to constitute peer review and to meet the
requirements of the OMB Peer Review Bulletin and the Information
Quality Act.
The proposed method for projecting uncertainty in abundance
estimates (topic 1) is not being finalized at this time (see below).
Any models that are employed in the SARs have been peer reviewed, as is
their specific application to the SARs, and therefore meet the
requirements of the IQA. Regarding the use of informed interpolation to
estimate abundance within a study area based on habitat modeling or
similar approaches (i.e., model-based abundance estimation), this
approach is commonly applied in ecology. The International Whaling
Commission Scientific Committee recently acknowledged the strength and
utility of model-based abundance estimation methods and is planning a
workshop to formulate revisions to its guidelines for conducting
surveys and analyzing data to include guidance on the use of these
methods in management (IWC, 2015).
[[Page 10835]]
Model-based estimation of density is based on survey data and habitat
or other covariates, which is entirely science based. To suggest we are
directing staff to ``make up abundance data and PBR'' is a
mischaracterization of what is contained in the revised guidelines. We
have added a footnote to the guidelines to clarify the definition of
``informed interpolation.''
Regarding oil and gas activities, nowhere in the proposed
guidelines are oil and gas or seismic activities specifically
discussed. The guidelines do not direct the inclusion of oil and gas
activities in the SARs; however, if oil and gas activities are found to
be having a detrimental effect on a stock or its habitat, we would
include it in the report, as we would with any other activity. The
final revised guidelines (very slightly revised from the proposed
guidelines) state: ``The MMPA requires for strategic stocks a
consideration of other factors that may be causing a decline or
impeding recovery of the stock, including effects on marine mammal
habitat and prey. In practice, interpretation of ``other factors'' may
include lethal or non-lethal factors other than effects on habitat and
prey. Therefore, such issues should be summarized in the Status of the
Stock section for all strategic stocks. If substantial issues regarding
the habitat of the stock are important, a separate section titled
``Habitat Issues'' should be used. If data exist that indicate a
problem, they should be summarized and included in the Report. If there
are no known habitat issues or other factors causing a decline or
impeding recovery, this should be stated in the Status of the Stock
section.''
Comments on Topic 1: Assessing Stocks With Outdated Abundance Estimates
NMFS received a number of comments expressing strenuous objection
to/concern with the proposed framework for stocks with outdated
abundance estimates. As such, NMFS is not finalizing the proposed
revisions related to Topic 1 at this time. Rather, we will further
analyze this issue. Should we contemplate changes to the guidelines
regarding this topic, NMFS will propose them and solicit public comment
in a separate action.
Comments on Topic 2: Improving Stock Identification
Comment 10: The Commission recommended that NMFS convene a national
workshop to systematically review the status of stock identification
efforts and to identify and prioritize the information needed to
improve stock identification.
Response: In August 2014, NMFS convened a workshop on the use of
multiple lines of evidence to delineate demographically independent
populations (Martien et al., 2015). The meeting participants agreed
that the best way to provide guidance on the use of multiple lines of
evidence when delineating demographically independent populations for
marine mammals was to produce a Stock Delineation Handbook that can
serve as a guide for future demographically-independent population
delineation efforts. Development of the handbook is currently underway.
Subsequent to the 2014 workshop, NMFS began developing an internal
procedure for identifying and prioritizing stocks in need of
examination for potential revisions that would complement and be
integrated into the stock delineation workshop outputs and the existing
SAR process.
Comment 11: The GAMMS III workshop report makes several very good
recommendations for improving stock identification, and the Alaska SRG
and the Humane Society of the United States agree with all of them.
Response: NMFS acknowledges this comment.
Comment 12: The Pacific SRG recommends that NMFS focus on the role
of genetics in determining marine mammal stock structure and in
defining the terms ``stock'' and ``population.''
Response: Although the guidelines are clear that genetic evidence
is not the sole evidence that could be used to define stocks, changes
in stock definition have relied on genetic data as the primary line of
evidence, and species for which genetic evidence are not available have
not had new stocks defined. The MMPA uses the term ``population
stock.'' The guidelines have a lengthy section on ``Definition of
stock'' that has been discussed in each of the GAMMS workshops and in a
special workshop devoted to stock definition (see response to Comment
(10). The language that interprets ``population stock'' has remained
largely unchanged since the first set of guidelines despite much
discussion.
Comment 13: The Pacific SRG would like to have the following
questions addressed: How do we integrate the MMPA's goal of maintaining
a population as a functioning part of the ecosystem with the statute's
definition of a stock (that emphasizes breeding interchange)? In a
continuum of levels of genetic exchange, where does one draw the line
between what is a stock and what is not? How will the proposed use of
eco-regions be practically implemented in stock determination and how
will migratory stocks that feed in one region and breed in another be
treated under this proposal? How do we balance the conservation
concerns resulting from stocks being defined very broadly versus the
costs and management concerns resulting from stocks being defined very
finely?
Response: The definition of ``population stock'' as ``a group of
marine mammals of the same species or smaller taxa in a common spatial
arrangement, that interbreed when mature'' is vague from a biological
perspective. To some degree, all ``groups'' within a species interbreed
when mature or else they would be considered different species
according to the biological species concept. Clearly, population stock
was intended to mean interbreeding at some greater level but that level
is not specified. Interpretation becomes more difficult when
considering known cases of migratory species with strong fidelity to
both feeding and breeding grounds. Consider, for example, humpback
whales that feed in Southeast Alaska and breed in Hawaii. These
individuals can interbreed when mature but can (and do) interbreed with
individuals that feed in other areas. If a threat occurred within
Southeast Alaska that resulted in unsustainable deaths in that area,
then if the ``Southeast Alaska whales'' were a stock, that stock's PBR
could be used as an indicator that management efforts to mitigate that
threat were warranted. In contrast, if ``interbreed when mature''
considered all the whales in Hawaii, then the human-caused mortality in
Southeast Alaska may never exceed the PBR based on Hawaii, and
eventually the ecosystem in Southeast Alaska would cease to have
humpback whales as a functioning part. Such cases result in an apparent
conflict between the words ``interbreed when mature'' and the goal to
maintain population stocks as functioning elements of their ecosystem.
Often, changes to stock delineations in the SARs have relied on
interpretation of genetic data. The Pacific SRG asks where one draws
the line on what level of genetic exchange suffices to qualify as a
stock. Interpretation has been based on the guidelines:
``Demographic independence means that the population dynamics of
the affected group is more a consequence of births and deaths within
the group (internal dynamics) rather than immigration or emigration
(external dynamics). Thus, the exchange of individuals between
population stocks is not great enough to prevent the depletion of one
of the populations as
[[Page 10836]]
a result of increased mortality or lower birth rates.''
To date, accepted ``new'' stocks have been strongly differentiated,
indicating such low levels of exchange that immigration is relatively
trivial. There will be, however, borderline cases. Such is the nature
of imposing discrete categories on continuous processes.
The recommendations from the GAMMS III workshop do not propose
basing stocks on eco-regions. Eco-regions were discussed during the
workshop in two contexts: (1) In a working paper that demonstrated that
most stocks are currently defined at a very large scale often
encompassing several eco-regions, and (2) that eco-regions may
highlight stocks that may deserve consideration in a stock definition
meeting because that stock may be at too large a scale and could
encompass multiple demographically independent populations.
Comment 14: In the SARs, a concise statement concerning uncertainty
in stock structure could be included in the section on uncertainty
discussed under Topic 8. Details should be provided only when
publications are not yet available. The Pacific SRG questions the
usefulness of repeating in nearly every SAR the sentence ``It is
plausible that there are multiple demographically-independent
populations within this stock.''
Response: The Pacific SRG requested that the reader of a SAR be
able to readily assess the level of confidence that can be ascribed to
the PBR calculation. A critical part of that calculation is abundance,
which can be severely biased if stock definition is incorrect. We
recognize that many SARs will include the same statement about the
plausibility of multiple demographically independent populations within
the stock, but we consider it necessary to better inform the reader's
understanding of areas of uncertainty.
Comment 15: NMFS received a number of comments related to stock
definition and stock delineation based on feeding aggregations. Such
as: The revised guidelines should address whether, and under what
circumstances, a feeding aggregation can be identified as a stock
consistently with the MMPA's statutory definition of a stock. One
commenter stated that it is not clear whether or how the definition of
a stock in the proposed guidelines relates to the definition of a stock
in the MMPA. One commenter suggested that the revised guidelines should
clarify the meaning of ``internal dynamics'' and explain how it relates
to the statutory interbreeding requirement. Another suggestion was that
the revised guidelines should address the workshop participants'
suggestion ``that human-caused mortality on the feeding grounds be
monitored and evaluated against a PBR calculation made for the feeding
aggregation and that the feeding-ground PBR, mortality, and evaluation
results be reported in the SARs, as is currently done for Pacific
humpback stocks.''
Response: The workshop participants discussed the possibility of
basing stocks on feeding aggregations. Although workshop participants
considered this approach to be feasible, they believed it added
significant complexity without providing substantial management
advantages, and did not recommend revisions to the guidelines at this
time. Therefore, this revision of the guidelines does not specifically
discuss identification of stocks based on feeding aggregations. We
recognize and acknowledge these comments related to feeding
aggregations and stock definition, but as they do not relate to the
current revisions to the guidelines, we are not addressing them in this
action. If the issue is further considered by the agency in a separate
action, we will address those comments in the development of that
action.
Comment 16: In the proposed guidelines, NMFS suggests that it may
delineate marine mammal stocks based upon human factors such as
incidental take as a result of human-caused mortality. However, the
MMPA does not permit the determination of stock status based on human-
related factors. Accordingly, when delineating stocks, NMFS can only
consider the demographic and biological characteristics of the species
at issue. Carving out stocks in areas where human-caused mortality is
high, as NMFS proposes, would violate the MMPA.
Response: The guidelines state: ``For example, it is common to have
human-caused mortality restricted to a portion of a species' range.
Such concentrated mortality (if of a large magnitude) could lead to
population fragmentation, a reduction in range, or even the loss of
undetected populations, and would only be mitigated by high immigration
rates from adjacent areas.'' They caution that serious consideration
should be given to areas with concentrated high human-caused mortality,
but that actual stock definition should be based on biological
considerations. In other words, high-localized human-caused mortality
should highlight the need for stock identification scrutiny but not the
lines of evidence used.
Comment 17: If it cannot be demonstrated with normal genetic
analysis, then it is unwarranted to establish populations or
subpopulations based on behavior or distribution. To split existing
populations into smaller units only invites the development of
fragmented PBRs with an aggregate value that will likely be lower than
that of the whole population.
Response: Genetic data are certainly useful when attainable, but in
many cases genetic samples (of sufficient quantity to draw sound
inferences) cannot be obtained. There are many other lines of evidence
that can be informative to determining stock structure, including
behavior and distribution and also movement data from photographic
identification or tagging. Genetic data are sometimes sufficient but
are not exclusively needed to make sound inferences concerning stock
structure. In 2014, NMFS convened a workshop to review the use of other
lines of evidence, as consistency and accuracy in delineating stocks
for species with limited data would be improved if guidelines were
available on both the strengths of different lines of evidence and how
to evaluate multiple lines together (Martien et al., 2015). As a result
of this workshop, NMFS is developing a handbook for identification of
demographically independent populations, which includes genetic
information as well as other lines of evidence.
Comment 18: The revised guidelines should acknowledge that factors
other than demographic independence, such as a localized disease or a
localized change in prey availability, might cause different population
responses between geographic regions. In light of such factors, the
revised guidelines should discuss under what circumstances it is
appropriate to designate stocks solely on the basis of different
population responses between geographic regions.
Response: Demographic independence is defined in terms of birth and
death rates within the population and immigrations from outside the
population. Presumably, the response of a population to `localized
disease or localized change in prey availability' would be changes in
the birth and/or death rates. Thus, it would seem that the concern
above is already accounted for in the guidelines.
Comment 19: If the revised guidelines continue to define a stock as
a demographically-independent biological population, they should
explain more clearly the circumstances under which a group of marine
mammals can be designated as a stock even in the
[[Page 10837]]
absence of evidence that the group comprises a demographically
independent biological population. Are such circumstances limited to
those in which ``mortality is greater than a PBR calculated from the
abundance just within the oceanographic region where the human-caused
mortality occurs,'' as suggested in the GAMMS III Report? Or can stocks
be designated in other circumstances in the absence of evidence of
demographic independence? If so, what other circumstances are
contemplated?
Response: The section on definition of stocks in the guidelines
seeks to clarify the practical process of definition given biological
complexity and different types and qualities of available data. This
section was contained in GAMMS II (NMFS 2005) and was not revised in
this current revision of the guidelines. The guidelines note that
particular attention should be given to areas where mortality is
greater than PBR but do not limit stock definition to those
circumstances. The stock definition workshop (see above) was suggested
as a forum to improve stock definition in data-poor cases.
Comments on Topic 3: Assessment of Small and Endangered Stocks
Comment 20: The Commission recommends that NMFS adopt the workshop
recommendation to include, when appropriate, a statement in each
assessment explaining that bycatch data are not sufficient to estimate
the bycatch rate with acceptable precision. The Commission and another
commenter recommended NMFS treat each such stock as strategic unless
and until the data are sufficient to demonstrate that it is not.
Response: NMFS agrees with the importance of including a statement
in each stock assessment to indicate when bycatch estimates are prone
to small-sample bias, though it should be noted that bias and precision
are different issues. The guidelines recommend pooling years of
information as necessary to achieve precision levels of CV less than
0.3.
At this point, NMFS does not make the default assumption that a
stock is strategic until demonstrated otherwise. The MMPA requires a
determination of a stock's status as being either strategic or non-
strategic and does not include a category of unknown. The revised
guidelines state, for non-ESA listed and/or non-depleted stocks, ``if
abundance or human-related mortality levels are truly unknown (or if
the fishery-related mortality level is only available from self-
reported data), some judgment will be required to make this
determination. If the human-caused mortality is believed to be small
relative to the stock size based on the best scientific judgment, the
stock could be considered as non-strategic. If human-caused mortality
is likely to be significant relative to stock size (e.g., greater than
the annual production increment) the stock could be considered as
strategic.''
Comment 21: When calculating PBR, NMFS should err on the side of
caution rather than allowing loosely defined flexibility that may be
used to the detriment of the stock. With stocks such as the Cook Inlet
belugas or Hawaiian monk seals, the documented decline in abundance
would seem to challenge the assumption that net productivity occurs.
Therefore, a PBR of zero is appropriate and would promote regional
consistency.
Response: NMFS recognizes that in some cases the dynamics of a
stock do not comport with the underlying assumptions of the PBR
framework. Given that Section 117 directs the agency to calculate PBR,
the revised guidelines direct authors to calculate PBR but in such
instances to qualify the calculation in the PBR section of the Report.
Comment 22: We support the calculation of PBR even for small stocks
with little human-caused mortality to comply with the MMPA. However, we
do not support the exception to depart from the PBR requirement.
Response: NMFS recognizes that, pursuant to Sec. 117 of the MMPA,
each stock assessment report should include an estimate of the PBR for
the stock. However, PBR is not always estimable. Most obviously, we
lack abundance estimates for some stocks. Less obviously, the equation
for estimating PBR makes assumptions about the underlying population
growth model for marine mammals, and for stocks whose population
dynamics do not appear to conform to these assumptions, the calculated
PBR is considered unreliable as an estimate of the true potential
biological removal. The revisions to the guidelines encourage reporting
PBR for all stocks possible and qualifying in the SAR when the reported
value is not considered reliable. Departure from this suggestion must
be discussed fully within any affected report.
Comment 23: The Commission recommends that NMFS require stock
assessment authors to set PBR to zero in those cases that are not in
accord with the commonly assumed PBR framework and involve stocks with
no tolerance for additional human-related removals.
Response: The revisions to the guidelines encourage reporting PBR
for all stocks possible and qualifying in the stock assessment report
when the reported value is not considered reliable or in cases where a
stock's dynamics do not conform to the underlying model for calculating
PBR. At this point, the guidelines are not instructing authors to set
PBR to zero.
Comment 24: The Pacific SRG continues to support a decision not to
report a PBR in the monk seal SAR.
Response: By ecological theory, i.e., when the assumption of simple
logistic population growth is reasonable and when a stock's status can
be attributed to direct anthropogenic impacts, a non-zero estimate of
PBR is not unreasonable. In the case of Hawaiian monk seal, however, it
is not apparent that these model assumptions hold. See response to
Comment 22.
Comment 25: The Alaska SRG preference would be to have an
undetermined PBR when assessing endangered stocks. If numerical
estimates of PBR are to be given in SARs, we recommend that language be
included clarifying whether negligible impact determinations have been
made, what they are, and if not, stating that no human-caused takes are
authorized. We do not agree that this topic is beyond the scope of SARs
and rather believe that inclusion of such information would help
readers understand the actual meaning of PBR in this case.
Response: NMFS disagrees with including negligible impact
determinations (NIDs) under section 101(a)(5)(E) of the MMPA in the
SARs. The five criteria (64 FR 28800, May 27, 1999) that NMFS may use
for making a final determination and issuing 3-year incidental take
authorizations to Category I and II fisheries are complex and may be
difficult to relate to the data contained in the SARs, which often
change on an annual basis. Furthermore, while some NIDs may use
fisheries bycatch data from the past five years in making an
assessment, other NID analyses may contain bycatch data from more than
five years, depending on changes in fisheries, particularly regulatory
changes such as time/area closures or mandatory bycatch reduction
methods. In addition, NMFS may use the more recent observer data or
stranding data, which may not yet be included in the most recent SARs,
which may also confuse readers. Further, NMFS does not authorize (or
prohibit) incidental mortalities through the SAR process.
[[Page 10838]]
Comments on Topic 4: Apportioning PBR, Allocating Mortality, and
Estimating PBR for Transboundary Stocks
Comment 26: The Commission recommends that NMFS include in their
stock assessments comparisons of PBR for feeding aggregations, and
estimate or apportion mortality and serious injury levels for each
aggregation.
Response: The workshop participants discussed how feeding ground
PBRs should be calculated for stocks where there was a desire to
monitor potential risks to feeding aggregations; however, this was not
reflected in the recommended revised text for the guidelines nor were
comments solicited on this issue. NMFS is not including text regarding
apportioning PBR among feeding aggregations in this revision of the
guidelines.
Comment 27: The Commission recommends that NMFS apply the total
unassigned mortality and serious injury to each affected stock in both
data-rich and data-poor cases involving taking of mixed stocks that
cannot be or are not identified in the field. Doing so is the only way
to be precautionary and also provides the appropriate incentive to
develop better information about the affected stocks.
Response: NMFS disagrees and believes that the guidelines are
sufficiently conservative at this time.
Comment 28: The Commission recommends that NMFS discourage the use
of informed interpolation, require strong justification where it is
used, and require that it be accompanied by reasonable measures of
uncertainty associated with the interpolation.
Response: The revised guidelines allow for the use of informed
interpolation (i.e., model-based abundance estimation) as appropriate
and supported by existing data. NMFS has added text to the guidelines
specifying that when informed interpolation is employed, the Report
should provide justification for its use and associated measure of
uncertainty. As a point of clarification, informed interpolation is not
a person making an informed judgement; it is a model that is informed
by the covariation between habitat or other variables and density that
is making the ``judgement.''
Comment 29: We support the recommendation of assigning the total
unassigned mortalities and serious injuries to each stock within the
appropriate geographic area.
Response: NMFS acknowledges this comment.
Comment 30: NMFS should not assign the ``unassigned mortality and
serious injury'' to each stock within the affected geographic area as
it would effectively double count these human interactions and affect
the PBR of multiple stocks. Instead, NMFS should develop methodology
based on the best available data to assign the serious injury and
mortality according to the relative abundance of the stocks. When this
is not possible, serious injury and mortality should remain unassigned
to avoid arbitrary determinations.
Response: The revised guidelines direct that in data poor
situations with mixed stocks, when relative abundances are unknown, the
total unassigned mortality and serious injuries should be assigned to
each stock within the appropriate geographic area. NMFS and workshop
participants recognize that this approach effectively would repeatedly
``count'' the same deaths and serious injuries against multiple stocks.
However, this approach is considered to be the most conservative in
terms of ensuring that the most severe possible impacts were considered
for each stock. The revised guidelines instruct that when deaths and
serious injuries are assigned to each overlapping stock in this manner,
the Reports will contain a discussion of the potential for over-
estimating stock-specific mortality and serious injury.
Comment 31: NMFS's proposal to identify transboundary or high seas
stocks with no available population data is contrary to the MMPA.
Response: NMFS did not propose to identify transboundary or high
seas stocks with no available population data. Rather, the workshop
discussions involved estimating range-wide abundance and PBR for
transboundary stocks, and specifically, addressing the problem of
managing transboundary marine mammal stocks for which PBR is estimated
based on abundance from only a portion of each stock's range (for
example, PBR levels for transboundary stocks being estimated based on
abundance surveys that occur only within the U.S. EEZ). Although it is
inappropriate to simply extrapolate abundance estimates to an
unsurveyed area, the revised guidelines allow for the use of model-
based density estimation to fill gaps in survey coverage and estimate
abundance and PBR over broader areas as appropriate and supported by
existing data. In such cases, the Report should provide justification
for use of interpolation and associated measure of uncertainty.
Comment 32: NMFS must ensure that it prioritizes collection of data
necessary to support interpolations when full assessments are not
possible. In cases where a partial survey is conducted and methods of
interpolation or modeling are not incorporated, serious injuries and
mortalities should only be counted if they occur in the portion of the
stock that was surveyed.
Response: NMFS agrees surveys should ideally cover the entirety of
the stock range. When this is not possible, Nmin is defined
under the MMPA as an estimate of the number of animals in a stock that
provides reasonable assurance that the stock size is equal to or
greater than the estimate, so a partial survey can be used to calculate
Nmin and PBR. All human-caused mortality and serious injury
needs to be accounted for under the MMPA, so injuries or deaths that
are known to come from a stock must be apportioned to that stock even
if the abundance is underestimated. The solution to this mismatch is
not to ignore human-caused mortality and serious injury (which is
contrary to the MMPA), but to conduct adequate surveys or develop
models to obtain complete abundance estimates.
Comment 33: The apportionment of PBR to foraging grounds between
surveyed and un-surveyed areas appears to be a significant problem in
the absence of data and lacks scientific justification. It appears that
this will be based on untested assumptions regarding stock
distributions. Assuming uniform distribution will have animals present
where they may not exist or exist only seasonally.
Response: NMFS agrees that it is not appropriate to assume uniform
distribution between surveyed and unsurveyed areas, and as such
discourages the use of extrapolation. The workshop participants
discussed this issue, and the background paper on this topic suggested
that informed modeling exercises may sometimes be appropriate or
necessary for management decisions and to ensure that stocks remain as
functioning elements of the ecosystem. Therefore, the revised
guidelines state, ``abundance or density estimates from one area should
not be extrapolated to unsurveyed areas to estimate range-wide
abundance (and PBR). But, informed interpolation (e.g., based on
habitat associations) may be used to fill gaps in survey coverage and
estimate abundance and PBR over broader areas as appropriate and
supported by existing data.''
Comment 34: Given the known lack of general data and uncertainty of
existing data, it appears that it will be difficult to accurately use
separate PBRs for marine mammal populations with multiple feeding
grounds. To the extent that this is understood, information pertaining
to separate feeding
[[Page 10839]]
aggregations should be noted in the stock assessment reports, but
separate PBRs should not be used for stocks with multiple feeding
grounds. There is a significant risk that ``unassigned mortality and
serious injury'' could be wrongly assigned and result in erroneous
estimates to one or more populations. To avoid arbitrary assignments,
when this is not possible, serious injury and mortality should remain
unassigned.
Response: See response to Comment 26.
Comment 35: The section on apportioning PBR among feeding
aggregations does not provide clear guidance for cases like eastern
Pacific gray whales and whether the Pacific Coast Feeding Group is a
stock or not, a case where there may be mitochondrial differences
between feeding areas but all animals go to a common breeding area.
Response: The current Guideline revisions do not address
apportioning PBR among feeding aggregations. See response to Comment
26.
Comment 36: Separate PBRs for stocks with multiple feeding grounds
should not be used. Separating PBR among feeding stocks is complicated
and data-intensive, and is unlikely to improve management. NMFS is
rarely able to adequately determine which portion of the stock was
involved in a human interaction.
Response: See response to Comment 26.
Comment 37: There is concern that failure to estimate a population-
wide PBR in the assessments will lead to the reliance on the proposed
default of assuming the population is in decline. The agency should
develop an assessment methodology based on the best available data and
devise a statistically sound interpolation algorithm to fill in gaps in
survey coverage and estimate abundance over the range of the
population. If this is not developed then there is a very strong
possibility that assessment scientists will discount or not utilize
historical estimates derived from multiple surveys spanning multiple
geographic regions in one year, and/or limited surveys the following
year.
Response: NMFS recognizes the need to estimate population-wide PBR
for marine mammal stocks, which is why the revised guidelines allow for
the use of informed interpolation (i.e., model-based abundance
estimation) to fill gaps in geographical survey coverage. Where
interpolation is employed, the Reports should include a statement about
the level of uncertainty surrounding the estimates.
Comment 38: Priority for research should be given to stocks for
which serious injury and mortality exceeds PBR and for which additional
management action is required under take reduction plans. In cases
where this is not possible, NMFS must consider the availability of data
for interpolation or informed modeling exercises to obtain abundance
estimates for the full range of the stock. This strategy requires
careful coordination with Canada for transboundary stocks. If timely
and robust data are not available, NMFS should not make stock
assessment determinations.
Response: Staffs from NMFS Science Centers, Regional Offices, and
Headquarters Offices communicate regularly to discuss science needed to
support management and to help prioritize research efforts. This
includes discussion of stocks for which human-caused mortality and
serious injury exceed PBR and take reduction planning needs. The
revised guidelines allow for the use of informed interpolation (e.g.,
based on habitat associations) to fill gaps in survey coverage and
estimate abundance and PBR, as appropriate and when supported by
existing data.
Comments on Topic 5: Reporting of Mortality and Serious Injury
Comment 39: The Commission recommends that NMFS require a summary
of all human-caused mortality and serious injury in each stock
assessment report. Efforts to meet that requirement will almost
certainly vary, perhaps markedly. With that in mind, the Commission
encourages NMFS to re-examine those report sections after one to two
years to identify the most effective reporting strategies that could
then be used to develop a consistent and informative reporting
approach.
Response: Section 117 of the MMPA requires that all sources of
human-caused mortality and serious injury be included in stock
assessments. NMFS makes every effort to include these sources of
anthropogenic mortality and serious injury in each stock assessment,
whether the mortality or serious injury is systematically recorded by
fishery observer programs or through opportunistic records, such as
strandings, where the cause of death or serious injury can be linked to
human-related causes. NMFS understands that clearly presenting these
mortality and serious injury data in the SARs is an important part of
allowing the public to interpret the status of marine mammal stocks.
Every effort will be made to continue to improve the way in which
mortality and serious injury are reported in the SARs.
Comment 40: The Alaska SRG believes that extensive tabling of
interactions between marine mammals and commercial fisheries should be
confined to an Appendix, with only a summary table that includes
mortality in the various Federal groundfish fisheries, state water
fisheries, and international transboundary fisheries included in the
body of the assessment. The strategy of summarizing fishery
interactions should lead to a single clearly-documented estimate of
mortality and associated variance for all fisheries combined with easy
access to details available preferably in an online appendix.
Response: NMFS makes every effort to present fishery interaction
data simply in the body of each SAR, whether in the text, tabular form,
or both. The agency feels that it is valuable to have all interaction
data appear within the SAR itself (although some regions also currently
include a separate Appendix describing those fisheries that interact
with marine mammals). NMFS also produces stand-alone injury
determination and bycatch papers by region, which has reduced the
amount of information that needs to go into the SARs, as they are
incorporated by reference. The agency will continue to improve the
clarity of how interaction data are presented within the SARs.
Comment 41: The SARs tend to lag approximately two years behind in
incorporating available observer bycatch data. For some fisheries that
have 100-percent observer coverage such as the Hawaii-based swordfish
fishery, such bycatch data are available in near real-time. Review of
new data should be conducted promptly given that PBR, the zero
mortality rate goal, and strategic status for stocks are all based on
the most recent SAR.
Response: Bycatch data for most fisheries are not available in
real-time and every effort is made to produce and incorporate new
bycatch estimates from observer data in a timely manner into the draft
SARs. SARs are typically drafted in the autumn of each year, with
previous calendar year observer data representing the most up-to-date
full-year information. For example, draft 2016 SARs will be prepared in
the autumn of 2015 for review by regional Scientific Review Groups in
early 2016. These draft 2016 reports will utilize bycatch data from
calendar year 2014 if available, thus the 2-year time lag between the
year the reports are published and the year of the most recent bycatch
data.
[[Page 10840]]
Comments on Topic 6: Determining When Stock Declines Warrant a
Strategic Designation
Comment 42: In an apparent attempt to interpret the MMPA definition
of strategic stock, the proposed guidelines suggest that a ``strategic
stock'' is a stock that ``is declining and has a greater than 50
percent probability of a continuing decline of at least five percent
per year.'' However, in reality, a stock that ``has a greater than 50
percent probability of a continuing decline of at least five percent
per year'' would not necessarily qualify as ``threatened'' in all
cases. Rather, the determination of ``threatened'' status under the ESA
requires a species-specific analysis of specific factors that are
expressly set forth in the ESA. While NMFS may have the discretion to
develop a general guideline for determining ``strategic'' status, NMFS
may not mechanically apply the ``strategic stock'' definition set forth
in the proposed guidelines.
Response: NMFS acknowledges this comment and has not made this
revision to the guidelines. See Response to Comment 43.
Comment 43: The Commission recommends that NMFS consider any marine
mammal stock that has declined by 40 percent or more to be strategic.
Additionally, the Commission and the Humane Society of the United
States recommend that stocks declining with more than 50 percent
probability of continuing decline (by at least five percent/year)
should be treated as strategic with the aim of reducing and reversing
the stock's decline before a depleted designation is required.
Response: Section 3(19) of the MMPA defines a ``strategic stock,''
as one: ``(A) for which the level of direct human-caused mortality
exceeds the potential biological removal level; (B) which, based on the
best available scientific information, is declining and is likely to be
listed as a threatened species under the Endangered Species Act of 1973
within the foreseeable future; or (C) which is listed as a threatened
species or endangered species under the Endangered Species Act of 1973
(16 U.S.C. 1531 et seq.), or is designated as depleted under this
Act.'' NMFS has not adopted the workshop-recommended revisions
regarding a quantitative interpretation of strategic status per section
3(19)(B) but will continue to analyze how to interpret ``likely to be
listed as a threatened species under the (ESA) within the foreseeable
future.'' However, NMFS has finalized the revision regarding declines
in abundance: ``Stocks that have evidence suggesting at least a 50
percent decline, either based on previous abundance estimates or
historical abundance estimated by back-calculation, should be noted in
the Status of Stocks section as likely to be below OSP. The choice of
50 percent does not mean that OSP is at 50 percent of historical
numbers, but rather that a population below this level would be below
OSP with high probability.''
Comment 44: The Alaska SRG supports the quantitative
recommendations for determining when non-ESA listed stocks should be
considered as ``strategic.'' We also find the rationale for using 15
years as ``the foreseeable future'' a reasonable default because it is
based on a five percent decrease over a 15-year period resulting in a
50 percent decline.
Response: At this time, NMFS is not adopting the recommended
changes related to strategic status of stocks that are declining and
likely to be listed as a threatened species under the ESA within the
foreseeable future.
Comment 45: The Alaska SRG agrees with the working group's
recommendation that a Recovery Factor scaled from 0.1 to 0.5 be
associated with stocks that are declining and likely to be listed as a
threatened species under the ESA within the foreseeable future. In some
cases where a decline is steep and ongoing or where the uncertainty
about the population or causes of the decline are high a lower recovery
factor could be warranted. We also recommend that there be a more
formal process for NMFS to regularly review non-ESA listed stocks of
concern to determine their status.
Response: As we are not finalizing the recommended changes
regarding strategic stock designation (sec. 3(19)(B) of the MMPA),
above, we have decided not to revise the guidelines regarding recovery
factors under such situations at this time. Each time a SAR is
reviewed, the status of the stock is evaluated.
Comment 46: While the revisions in the guidelines are a step toward
developing criteria for a strategic designation, and using the
threatened species recovery factors seems prudent, this revision falls
short of setting timeframes to evaluate whether a stock should be
reclassified.
Response: It is unclear whether the commenter is referencing
evaluation timeframes under the MMPA (sec. 117(c)(1)) or the ESA
(relative to the interpretation of sec. 3(19)(B) of the MMPA). Stock
assessments are reviewed by NMFS every three years for non-strategic
stocks or every year for strategic stocks. This sets the timeframe for
evaluating whether a stock's status should be revised. See response to
Comment 45 regarding MMPA sec. 3(19)(B).
Comment 47: The Pacific SRG supports the revision of when stock
declines merit a strategic designation but suggests wording changes
that give NMFS more flexibility surrounding the obligation to determine
when a stock is depleted prior to classifying it as strategic. The SRG
recommends that the NMFS regularly review whether a ``depleted'' status
is warranted for (1) unlisted stocks of marine mammals that are
declining and (2) stocks listed as depleted that are recovering.
Response: NMFS acknowledges this comment, and agrees that the
depleted status of marine mammal stocks should be reviewed periodically
to ensure that designations are appropriate. We are currently
evaluating information contained within a review of the SARs conducted
by the Commission and will, as a part of this evaluation, consider
whether there is more that NMFS should to do enhance consistency and
accuracy with regard to depleted status of marine mammal stocks on a
more regular basis.
Comment 48: Given the challenges facing NMFS to collect timely data
covering the full range of stocks already designated as strategic, NMFS
should not adopt new guidelines to take on the responsibility of
delineating strategic stocks that are not designated under the ESA.
There is already an acceptable federal process under the ESA to
designate strategic stocks.
Response: The ESA does not designate stocks as strategic or non-
strategic. Rather, the MMPA directs stocks be considered strategic if
ESA-listed (i.e., threatened or endangered), depleted, or human-caused
mortality exceeds PBR. Additionally section 3(19)(B) allows for
strategic designations of a stock that is declining and is likely to be
listed as a threatened species under the Endangered Species Act of 1973
within the foreseeable future. At this time, we are not finalizing the
recommended changes regarding strategic stock designation (sec.
3(19)(B) of the MMPA).
Comments on Topic 7: Assessing Stocks Without Abundance Estimates or
PBR
Comment 49: The Alaska SRG supports the suggested guideline
modifications relating to the use of trend monitoring. However, small
changes to the guidelines will do very little to improve the situation.
More substantive changes and new approaches are needed and have been
described.
Response: NMFS agrees that it would be valuable to identify
alternative
[[Page 10841]]
approaches for assessing stock status, apart from reliance on abundance
survey data, in regions where regular surveys are cost-prohibitive. As
noted in the guidelines, such approaches could include trend monitoring
at index sites. However, developing guidelines for alternative
assessment methods was not a focus of the GAMMS III workshop. NMFS will
make efforts to consider how alternative sets of information could be
used to aid its marine mammal stock assessments. See responses to
Comment 3 and Comment 4.
Comment 50: Based on the statutory mandate to use the PBR formula,
NMFS should prioritize gathering data for any stocks with insufficient
information to calculate levels of abundance, trends, or mortality.
NMFS should not consider approaches other than those that are mandated
and should provide admonition that stocks should not automatically be
determined to be non-strategic in the absence of information. Absence
of data on the degree of impact to stocks is not the same as data on
the absence of impacts to stocks.
Response: NMFS does prioritize its data collection based upon what
it perceives to be the most critical information gaps. NMFS does not
make the default assumption that a stock is strategic or non-strategic
until demonstrated otherwise. See response to Comment 20.
Comment 51: If a significant data shortage makes it difficult to
identify unit stocks, then NMFS should make it a high priority to
remedy this uncertainty that seems crucial to determine ``population
status.'' What has NMFS done to improve ``best available science'' on
marine mammal abundance and stock structure?
Response: NMFS agrees that it is a high priority to improve the
identification of unit stocks. Consistent with this, the GAMMS III
workshop participants recommended a national workshop be held to review
and summarize information that is relevant to population structure.
NMFS convened such a workshop and has begun developing an internal
procedure for identifying and prioritizing stocks in need of
examination for potential revisions that would complement and be
integrated into the stock delineation workshop outputs and the existing
SAR process.
Comment 52: Given that the MMPA provides significant latitude in
data sources for affected species and to the extent that ``anecdotal
information'' and ``unpublished information'' are used, ``trend
monitoring'' information from the fishermen who are out there every day
should be used in stock assessments.
Response: Various sources of information could be used to estimate
trends as long as the information is credible and compatible with
existing statistical or modeling frameworks.
Comments on Topic 8: Characterizing Uncertainty
Comment 53: The Commission recommends that NMFS include all
relevant sources or measures of uncertainty in stock assessment
documents. Such indicators of uncertainty are essential for readers to
form reliable conclusions regarding the status of the affected stocks
and the factors affecting them.
Response: NMFS agrees that information on key sources of
uncertainty should be made explicit in the Reports, and this has been
added to the revised guidelines.
Comment 54: The Pacific SRG has strived over the years to make the
SARs models of conciseness, and the proposed guidelines could reverse
these efforts. SARs should be summaries of significant results and
conclusions and not lengthy discussions including detailed descriptions
of methods and repetitive caveats. The recommendation to include
statements regarding uncertainty about parameters affecting PBR has
been made by the Pacific SRG previously, which envisioned a brief
separate ``Uncertainties'' section summarizing significant sources of
uncertainty in the stock assessment. Lengthy discussions of uncertainty
embedded in each SAR section reduce clarity and readability. Additions
such as points of contact could be placed in an appendix to each set of
SARs, but not be placed in each individual SAR.
Response: NMFS agrees that discussions of uncertainty should be
added in a way that will not detract from the clarity and readability
of the stock assessment reports and will not add appreciably to the
length of those reports. The workshop participants' recommended
addition of providing a point of contact has not been incorporated.
Comment 55: The Alaska SRG supports changes to guidelines that
would help ensure that SARs provide adequate evaluations of
uncertainty. We recommend a `report card' format as suggested by
workshop attendees that will likely be more user-friendly and promote
consistency between regional SARs. Additionally, this format would be
more concise than the text additions recommended in the GAMMS III
proposed guidelines. This report card could include the proportion of
fisheries monitored within the last five years that might be
interacting with strategic stocks.
Response: NMFS agrees that quantitative criteria should be used to
evaluate the uncertainty in marine mammal stock assessment reports and
that a ``report card'' may be a good format for presenting this
information. The quantitative criteria and format for this has not yet
been finalized and is not specified in the revised guidelines. The
workshop participants also saw merit to the report card, but there was
general agreement that such information would be better conveyed as a
periodic publication, such as in a NOAA Technical Memorandum, which
could be considered by the SRGs.
Comment 56: The Alaska SRG supports including a characterization of
uncertainty in the Status of Stocks section, and recommends that it be
described as ``reliable,'' ``moderately reliable,'' or ``unreliable''
as a clear way to characterize the overall utility of the status
determination. We also support the suggestion that an overall
assessment of the quality of SARs be conducted periodically and
reported as Tech Memos, but not as a substitute for the ``report
cards'' in the individual SARs.
Response: Uncertainty comes in many gradations, and the method of
determining PBR for human-caused mortality and serious injury was
specifically designed to be effective at achieving management
objectives in the face of many sources and levels of uncertainty.
Furthermore, the revised guidelines recommend that the most prevalent
sources of uncertainty in determining stock status and PBR levels be
identified so that future research can be better directed at reducing
these sources of uncertainty.
Comments on Topic 9: Expanding SARs To Include Non-Serious Injury and
Disturbance
Comment 57: The Commission recommends that NMFS require sections in
stock assessment reports that identify and characterize non-lethal
factors that may affect population status.
Response: Section 117(a)(3) requires NMFS, in consultation with the
appropriate regional scientific review group, to include other factors
that might be causing a decline or impeding recovery of a strategic
stock, including effects on marine mammal habitat and prey. While
inclusion of non-lethal factors may be a useful qualitative approach,
such factors cannot be compared to PBR to assess population status.
Furthermore, other environmental documents such as
[[Page 10842]]
environmental assessments or impact statements required under the
National Environmental Policy Act would contain that information, where
known. Consistent with SRG recommendations, NMFS is trying to keep the
SARs concise.
Comment 58: NMFS should revise the guidelines to delete any
suggestion that a mere ``disturbance'' or ``non-serious injury'' is
sufficient to be included in SARs. SARs should only include events--in
particular commercial fishing events--which cause mortality or serious
injury, or which can be shown to cause the decline or impede the
recovery of a strategic stock. This has been NMFS' position in the
past, it is correct, and it should not be changed.
Response: The MMPA requires SARs to include an estimate of all
sources of human-caused mortality and serious injury, not just an
estimate of commercial fisheries mortality. See response to Comment 57.
Comment 59: The Alaska SRG agrees that SARs should include the
annual levels of mortality and serious injury reported through take
authorizations and research permits in the ``Other Mortality'' section.
Response: NMFS acknowledges this and is finalizing this text within
the revised guidelines under the Annual Human-caused Mortality and
Serious Injury section.
Comment 60: The MMPA allows for SAR comments on non-lethal factors
affecting recovery for strategic stocks, and it seems reasonable that
SARs for non-strategic stocks should also evaluate such factors.
However, because there is a high degree of uncertainty regarding
population-level effects of non-lethal injury and disturbance, it is
inappropriate to include estimates of those takes in the SARs unless
there is evidence they are affecting stock recovery. Disturbance and
non-serious injury do not constitute ``Potential Biological Removal.''
While it may be useful for NMFS permit users or others to compare their
potential for disturbance/injury to a stock's PBR, this falls outside
the intent of the MMPA-mandated PBR process for managing interactions
with commercial fisheries.
Response: The revised GAMMS specify that SARs contain information
on other factors that may be causing a decline or impeding recovery
strategic stocks, which we have interpreted as including non-lethal
effects. As discussed in response to Comment 9, we would report on all
activities found to be having a detrimental effect on a stock or its
habitat. Within the SARs, PBR is only compared to takes that are
determined to be serious injuries or mortalities.
Comment 61: The guidelines should require a ``Habitat Concerns''
section in all new stock assessments. If there are no known habitat
issues, this should be stated.
Response: The previous (2005) guidelines direct that if substantial
issues regarding the habitat of the stock are important, a separate
section titled ``Habitat Issues'' should be used. Specifically, ``If
data exist that indicate a problem, they should be summarized and
included in the Report. If there are no known habitat issues or other
factors causing a decline or impeding recovery, this should be stated
in the Status of the Stock section.'' This section of the guidelines
was not changed in this revision.
Dated: February 26, 2016.
Perry F. Gayaldo,
Deputy Director, Office of Protected Resources, National Marine
Fisheries Service.
[FR Doc. 2016-04537 Filed 3-1-16; 8:45 am]
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