HomeMy WebLinkAbout20180944 Ver 2_Master Beach Nourishment Plan_final_20190912Eric Reusch
Chief, Wilmington Regulatory Field Office
Wilmington District Corps of Engineers
Department of the Army
69 Darlington Avenue
Wilmington, North Carolina 28403
Deena Hansen
Bureau of Ocean Energy Management
45600 Woodland Road
VAM-Office of Environmental Programs
Sterling, Virginia 20166
UNITED STATES DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
NATIONAL MARINE FISHERIES SERVICE
Southeast Regional 01tioe
26313th Avenue South
St. Petersburg, Florida 33701-5505
http:ftsero. n mfs. noaa.gov
October 23, 2018 F/SER3I:DMB
SER -2017-18882
Ref.: SAW -2009-00293, Carteret County, Bogue Banks Master Beach Nourishment Plan, Carteret County, North
Carolina
Dear Mr. Reusch and Ms. Hansen,
The enclosed Biological Opinion ("Opinion") was prepared by the National Marine Fisheries Service (NMFS)
pursuant to Section 7(a)(2) of the Endangered Species Act (ESA). The Opinion considers the effects of a proposal
by the Wilmington District of the U.S. Army Corps of Engineers (USACE) and the Bureau of Ocean Energy
Management (BOEM) to authorize Carteret County, North Carolina, to implement a long-term beach and inlet
management plan. We base this Opinion on project -specific information provided in the consultation package as
well as NMFS's review of published literature. This Opinion analyzes the potential for the project to affect the
following species: green sea turtle (North Atlantic and South Atlantic distinct population segments [DPSs]),
hawksbill sea turtle, Kemp's ridley sea turtle, leatherback sea turtle, loggerhead sea turtle (Northwest Atlantic DPS),
Atlantic sturgeon (Gulf of Maine, New York Bight, Chesapeake Bay, Carolina, and South Atlantic DPSs), giant
manta ray, shortnose sturgeon, blue whale, fin whale, North Atlantic right whale, sei whale, and sperm whale. This
Opinion also analyzes the potential for the project to have an effect on the following designated critical habitat:
loggerhead sea turtle (Northwest Atlantic DPS) (Nearshore Reproductive Habitat, Unit N-03). Pursuant to 50 CFR
402.14(i)(5), any taking which is subject to an incidental take statement (ITS), and which is in compliance with the
terms and conditions associated with the ITS, is not a prohibited taking under the ESA.
Please direct questions regarding this Opinion to Dana M. Bethea, Consultation Biologist, by phone at (727) 209-
5974, or by email at Dana.Bethea&oaa.gov.
Sincerely,
STRELCHECK.AND o„R `FSEs"�o wme�p
REW.J.1365863152
for Roy E. Crabtree, Ph.D.
Regional Administrator
Enclosures:
Biological Opinion
File: 1514-22 F.1
Action Agency
Co -Action Agency:
Applicant:
Activity:
Consulting Agency
Approved by:
Date Issued:
Endangered Species Act - Section 7 Consultation
Biological Opinion
U.S. Army Corps of Engineers, Wilmington District
Bureau of Ocean Energy Management
Carteret County, North Carolina
Permit Number SAM -2009-00293
Bogue Banks Master Beach Nourishment Plan
National Oceanic and Atmospheric Administration, National
Marine Fisheries Service, Southeast Regional Office, Protected
Resources Division, St. Petersburg, Florida
Consultation Number SER -2017-18882
STRELCHECK.AND p„RE- sE” s"°Oewme;oa'�p
REW.J.1365863152 63,E
Roy E. Crabtree, Ph.D., Regional Administrator
for NMFS, Southeast Regional Office
St. Petersburg, Florida
October 23, 2018
2
Table of Contents
1
INTRODUCTION...............................................................................................................7
2
CONSULTATION HISTORY............................................................................................7
3
DESCRIPTION OF THE PROPOSED ACTION AND ACTION AREA .........................8
4
STATUS OF LISTED SPECIES AND CRITICAL HABITAT.......................................17
5
ENVIRONMENTAL BASELINE.....................................................................................64
6
EFFECT OF THE ACTION ON LISTED SPECIES........................................................73
7
CUMULATIVE EFFECTS...............................................................................................82
8
JEOPARDY ANALYSIS..................................................................................................82
9
CONCLUSION..................................................................................................................97
10
INCIDENTAL TAKE STATEMENT...............................................................................97
11
REASONABLE AND PRUDENT MEASURES..............................................................98
12
TERMS AND CONDITIONS...........................................................................................99
13
CONSERVATION RECOMMENDATIONS.................................................................103
14
REINITIATION OF CONSULTATION.........................................................................103
15
LITERATURE CITED....................................................................................................104
List of Figures
Figure 1. Proposed Bogue Inlet "Safe Box" with historical locations and 2005 ebb channel
realignmentfootprint.................................................................................................................... 12
Figure 2. Example images of a closure dike (Images from the Carteret County Shore Protection
Office [https://www.carteretcountync.gov/295/Shore-Protection]).............................................. 14
Figure 3. The action area outlined in black (Image supplied by USACE).................................. 17
Figure 4. Threatened (light) and endangered (dark) green turtle DPSs: 1. North Atlantic, 2.
Mediterranean, 3. South Atlantic, 4. Southwest Indian, 5. North Indian, 6. East Indian -West
Pacific, 7. Central West Pacific, 8. Southwest Pacific, 9. Central South Pacific, 10. Central North
Pacific, and 11. East Pacific.......................................................................................................... 24
Figure 5. Green sea turtle nesting at Florida index beaches since 1989 ...................................... 29
Figure 6. Kemp's ridley nest totals from Mexican beaches (Gladys Porter Zoo nesting database
2017)............................................................................................................................................. 34
Figure 7. Loggerhead sea turtle nesting at Florida index beaches since 1989 ............................. 41
Figure 8. South Carolina index nesting beach counts for loggerhead sea turtles (from the
SCDNR website: http://www.dnr.sc.gov/seaturtle/nest.htm)....................................................... 42
List of Tables
Table 1. Lead Action Agency for Specific Activities within the Action Area for the Proposed
Action.............................................................................................................................................. 9
Table 2. The Boundary Points of Each of the Proposed Placement Reaches (WSG-84 Map
Datum).......................................................................................................................................... 10
Table 3. The Northwest Corner Point of Each of the Proposed Offshore Borrow Sites (WSG-84
MapDatum).................................................................................................................................. 11
Table 4. Proposed Atlantic Intracoastal Waterway Sand Sources (WSG-84 Map Datum)......... 11
Table 5. Proposed Location of Bogue Inlet "Safe Box" (WSG-84 Map Datum) ........................ 13
Table 6. Effects Determinations for Species (DPSs) the Action Agencies and/or NMFS Believe
May Be Affected by the Proposed Action.................................................................................... 18
3
Table 7. Effects Determinations for Designated Critical Habitat the Action Agency and/or
NMFS Believe May Be Affected by the Proposed Action........................................................... 19
Table 8. Total Number of NRU Loggerhead Nests (GADNR, SCDNR, and NCWRC nesting
datasets compiled at Seaturtle.org)............................................................................................... 42
Table 9. Summary of Calculated Population Estimates based upon the NEAMAP Survey Swept
Area, Assuming 50% Efficiency (NMFS 2013)........................................................................... 51
Table 10. Green Sea Turtle Nesting on Bogue Banks (2009-2017) ............................................ 62
Table 11. Loggerhead Sea Turtle Nesting on Bogue Banks (2009-2017) ................................... 63
Table 12. Material Removed and Observed Take of Sea Turtle Species from Hopper Dredging
Projects in and around Carteret County, NC, 1997-2017 (*Data taken from Piatkowski 2007;
**Data provided by USACE and BOEM).................................................................................... 75
Table 13. Material Removed and Observed Take of Atlantic Sturgeon from Hopper Dredging
Projects in and around Carteret County, NC, 2012-2017 (Data provided by USACE)................ 77
Table 14. Anticipated Amount of Lethal Take due to Hopper Dredging over the 50 -year Life of
theProject..................................................................................................................................... 78
Table 15. Observed Take of Sea Turtle Species from Relocation Trawling during Hopper
Dredging Projects in and around Carteret County, NC, 1997-2017 (*Data taken from Piatkowski
2007; **Data provided by USACE Wilmington and BOEM)...................................................... 80
Table 16. Observed Take of Atlantic sturgeon from Relocation Trawling during Hopper
Dredging Projects (Data provided by USACE and BOEM)......................................................... 81
Table 17. Anticipated Amount of Take due to Relocation Trawling over the 50 -year Life of the
Project........................................................................................................................................... 82
Table 18. Anticipated Take by DPS Over the 50 -year Life of the Project .................................. 94
Table 19. Percentage of Take by DPS for the Ocean Population of Atlantic Sturgeon Assuming
the Total Lethal Take in Any 1 Year............................................................................................ 95
Table 20. Percentage of Lethal Take by DPS for the Ocean Population of Adult Atlantic
Sturgeon Assuming the Total Lethal Take in Any 1 Year............................................................ 96
Table 21. Incidental Take Statement over the 50 -Year Life of the Project ................................. 98
and Abbreviations
AIWW Atlantic Intracoastal Waterway
APPS NOAA Fisheries Authorizations and Permits for Protected Species
ASMFC Atlantic States Marine Fisheries Commission
BOEM
Bureau of Ocean Energy Management
CFR
Code of Federal Regulations
DPS
Distinct Population Segment
DDT
Dichlorodiphenyltrichloroethane
DO
Dissolved oxygen
DTRU
Dry Tortugas Recovery Unit of loggerhead sea turtle
DWH
Deepwater Horizon oil spill of 2010
EEZ
Exclusive Economic Zone
EFH
Essential Fish Habitat
ESA
Endangered Species Act
FMP
Fishery Management Plan
FWC
Florida Fish and Wildlife Conservation Commission
FWRI
Fish and Wildlife Research Institute
.19
FR
Federal Register
GADNR
Georgia Department of Natural Resources
GCRU
Greater Caribbean Recovery Unit of loggerhead sea turtle
HMS
Highly Migratory Species
IPCC
Intergovernmental Panel on Climate Change
ITS
Incidental Take Statement
LOP
Level of Protection
MCH
Morehead City Harbor
MSA
Magnuson -Stevens Fishery Conservation and Management Act
NA DPS
North Atlantic DPS of green sea turtle
NEAMAP
Northeast Area Monitoring and Assessment Program
NCDENR
North Carolina Department of Environment and Natural Resources
NCWRC
North Carolina Wildlife Resources Commission
NGMRU
Northern Gulf of Mexico Recovery Unit of loggerhead sea turtle
NMFS
National Marine Fisheries Service
NOAA
National Ocean and Atmospheric Association
NRU
Northern Recovery Unit of loggerhead sea turtle
NWA DPS
Northwest Atlantic DPS of loggerhead sea turtle
ODMDS
Ocean Dredged Material Disposal Site
Opinion
Biological Opinion
PCB
Polychlorinated Biphenyls
PCE
Primary Constituent Elements
PCTS
Public Consultation Tracking System
PFRU
Peninsular Florida Recovery Unit of loggerhead sea turtle
PIT
Passive Integrated Transponder
PRD
NMFS Southeast Regional Office Protected Resources Division
RPM
Reasonable and Prudent Measure
SA DPS
South Atlantic DPS of green sea turtle
SARBO
South Atlantic Regional Biological Opinion
SCDNR
South Carolina Department of Natural Resources
STSSN
Sea Turtle Stranding and Salvage Network
T&C
Terms and Conditions
TED
Turtle Exclusion Device
U.S.
United States of America
USACE
U.S. Army Corps of Engineers
USCG
U.S. Coast Guard
USFWS
U.S. Fish and Wildlife Service
USN
U.S. Navy
YOY
Young -of -the -year
Units of Measurement
°C degrees Celsius
cm centimeter(s)
CPUE catch per unit effort
EPR eggs per recruit
OF degrees Fahrenheit
5
ft
foot/feet
g
gram(s)
in
inch(es)
kg
kilogram(s)
km
kilometer(s)
kt
knot(s)
lb
pound(s)
lin ft
linear foot/feet
In
meter(s)
mm
millimeter(s)
MCY
million cubic yards
mi
mile(s)
mit
square mile(s)
mgd
million gallons per day
nmi
nautical mile(s)
SCL
straight carapace length
SSB/R
spawning stock biomass per recruit
yd
yard(s)
yd
cubic yard(s)
rel
I INTRODUCTION
Section 7(a)(2) of the Endangered Species Act (ESA) of 1973, as amended (16 U.S.C. §1531 et
seq.), requires that each federal agency ensure that any action authorized, funded, or carried out
by the agency is not likely to jeopardize the continued existence of any endangered or threatened
species or result in the destruction or adverse modification of critical habitat of those species.
When the action of a federal agency may affect a protected species or its critical habitat, that
agency is required to consult with either National Marine Fisheries Service (NMFS) or the U.S.
Fish and Wildlife Service (USFWS), depending upon the protected species that may be affected.
Consultations on most listed marine species and their designated critical habitat are conducted
between the action agency and NMFS. Consultations are concluded after NMFS determines the
action is not likely to adversely affect listed species or critical habitat or issues a Biological
Opinion ("Opinion") that determines whether a proposed action is likely to jeopardize the
continued existence of a federally listed species, or destroy or adversely modify federally
designated critical habitat. The Opinion also states the amount or extent of listed species
incidental take that may occur and develops nondiscretionary measures that the action agency
must take to reduce the effects of said anticipated/authorized take. The Opinion may also
recommend discretionary conservation measures. No incidental destruction or adverse
modification of critical habitat may be authorized. The issuance of an Opinion detailing
NMFS's findings concludes ESA Section 7 consultation.
This document represents NMFS's Opinion based on our review of the effects of a long-term
beach and inlet management plan in Carteret County, North Carolina, on the following species
(distinct population segments [DPSs]) and designated critical habitat in accordance with Section
7 of the ESA: green sea turtle (North Atlantic [NA] and South Atlantic [SA] DPSs), hawksbill
sea turtle, Kemp's ridley sea turtle, leatherback sea turtle, loggerhead sea turtle (Northwest
Atlantic [NWA] DPS), Atlantic sturgeon (Gulf of Maine, New York Bight, Chesapeake Bay,
Carolina, and South Atlantic DPSs), giant manta ray, shortnose sturgeon, blue whale, fin whale,
North Atlantic right whale, sei whale, sperm whale, and loggerhead sea turtle (NA DPS)
designated critical habitat (Nearshore Reproductive Habitat, Unit N-03). NMFS has analyzed
the information provided in the biological assessment and the effects on listed species under our
purview in accordance with Section 7 of the ESA of 1973, as amended (16 U.S.C. 1531 et seq.).
NMFS bases this Opinion on project information provided by the U.S. Army Corps of Engineers
(USACE) and the Bureau of Ocean Energy Management (BOEM) as well as published literature
and the best available scientific and commercial information.
2 CONSULTATION HISTORY
The following is the consultation history for Public Consultation Tracking System (POTS)
identifier number SER -2017-18882, Bogue Banks Master Beach Nourishment Plan.
• On September 11, 2017, NMFS received a request for formal consultation under Section 7 of
the ESA from the USACE for permit SAM -2017-18882 in a letter dated September 8, 2017.
Due to the complexity of the project and the overlapping Regulatory authorities between the
7
USACE and the BOEM, the request to initiate formal consultation is being conducted jointly
by the 2 authorities.
• The USACE and BOEM determined that the proposed action may affect, but is not likely to
adversely affect, North Atlantic right whale, hawksbill sea turtle, and shortnose sturgeon.
• The USACE and BOEM determined that the proposed action is likely to adversely affect
green sea turtle (NA DPS), Kemp's ridley sea turtle, leatherback sea turtle, loggerhead sea
turtle (NWA DPS), and Atlantic sturgeon (Carolina DPS).
• The USACE and BOEM also determined the proposed action may affect, but is not likely to
adversely affect loggerhead sea turtle designated critical habitat.
• NMFS requested additional information on January 16, 2018, related to the project's location
and on January 19, 2018, related to the details of the proposed action.
• NMFS held a conference call with the USACE and BOEM on January 23, 2018, to discuss
project details and requested additional information regarding sea turtle take due to dredging
in and near the action area. NMFS received response on February 6, 2018.
• On February 21, 2018, NMFS, USACE South Atlantic Division, and USACE Wilmington
District decided to proceed with this Opinion as a stand-alone Opinion (i.e., not "stacked" on
the current South Atlantic Regional Biological Opinion (NMFS 1997a)]).
• On March 13, 2018, NMFS, USACE South Atlantic Division, and USACE Wilmington
District agreed that, unless a reinitiation trigger was met, this Opinion would cover the
proposed action until the completion of the reintiated SARBO (SER -2008-5934). It is
anticipated that the reinitiated SARBO will be drafted to cover all of the activities included in
the proposed action. Upon completion of the SARBO, it is anticipated that this Opinion will
be replaced by that Regional Biological Opinion.
• NMFS requested additional information on March 20, 2018, related to other dredging
projects within and near the action area and received response on March 30, 2018.
• NMFS requested additional information related to relocation trawling data on March 30 and
April 4, 2018, received response on April 4, 2018, and initiated consultation that day.
• During the review process, NMFS requested additional information on April 30, 2018, and
received final response on May 10, 2018.
• NMFS provided the USACE and BOEM with a Draft Opinion on August 14, 2018.
• During the review of the Draft Opinion, NMFS requested additional information on August
30, 2018, and received response on September 7, 2018.
• NMFS provided the USACE and BOEM with a second, updated Draft Opinion on October
11, 2018.
3 DESCRIPTION OF THE PROPOSED ACTION AND ACTION AREA
3.1 Proposed Action
The USACE and BOEM propose to authorize Carteret County (the County), through an inter-
local agreement with the island municipalities, to manage approximately 23 miles (mi) of
beaches from Bogue Inlet to Atlantic Beach, North Carolina, through the implementation of a
comprehensive 50 -year beach nourishment and non-structural inlet management project.
Atlantic Beach is also a party to the inter -local agreement; however, it is the on-going recipient
of regular USACE placements of navigation -dredged material from the Morehead City Harbor
(MCH) channels. The County's 50 -year plan would provide for interim maintenance
nourishment events along Atlantic Beach should USACE MCH placements cease. The County's
50 -year plan would also provide storm -response nourishment for Atlantic Beach to address any
storm -related needs in excess of the volumes placed by the USACE MCH project. The County
projects the beaches will require maintenance placements totaling approximately 50.6 million
cubic yards (MCY) over the 50 -year life of the project. The County conservatively assumes for
planning purposes that beach nourishment and channel alignment would require hopper dredging
of approximately 26.7 MCY over the 50 -year life of the project.
The USACE and BOEM have established protocols for delineating agency responsibilities for
the proposed action in accordance with Section 7 of the ESA (Table 1). The division of
responsibilities between the two agencies corresponds to the 3 -nautical mile (nmi) diving line
between state and federal waters.
Table 1. Lead Action Agency for Specific Activities within the Action Area for the
Proposed Action
Lead Action Agency
Activity
BOEM
Hopper and/or cutterhead dredging outside of 3-nmi
limit, Closed net (capture) relocation trawling
USACE
Hopper and/or cutterhead dredging inside of 3-nmi
limit, Closed net (capture) relocation trawling
USACE
Cutterhead dredging within Bogue Inlet "Safe Box"
USACE
Placement of dredge material along oceanfront
3. LI Beach Nourishment
The 50 -year beach nourishment plan would employ a regular and recurring cycle of nourishment
events to continuously maintain beach profile sand volumes along 7 managed reaches (Bogue
Inlet, Emerald Isle West, Emerald Isle Central, Emerald Isle East, Indian Beach/Salter Path, Pine
Knoll Shores, and Atlantic Beach; Table 2).
M
Table 2. The Boundary Points of Each of the Proposed Placement Reaches (WSG-84 Map
Datum)
Placement Reach
Latitude
Longitude
Bogue Inlet
Start
34.644014
-77.095811
End
34.654532
-77.060167
Emerald Isle West
Start
34.654532
-77.060167
End
34.667875
-77.001545
Emerald Isle Central
Start
34.667875
-77.001545
End
34.676850
-76.950166
Emerald Isle East
Start
34.676850
-76.950166
End
34.683493
-76.906960
Indian Beach/Salter Path
Start
34.683493
-76.906960
End
34.689149
-76.864776
Pine Knoll Shores
Start
34.689149
-76.864776
End
34.696737
-76.785998
Atlantic Beach
Start
34.696737
-76.785998
End
34.694496
-76.699239
Nourishment events would be implemented according to 25 -year level of protection (LOP) beach
profile volumetric triggers, ranging 211-266 cubic yards per foot along various reaches of the
approximately 23 -mi project shoreline. Maintenance of the 25 -year LOP beach profile volumes
along the management reaches, which equates to protection for upland structures against a 25 -
year storm event, would involve: 1) regular recurring "maintenance" nourishment events to
offset long-term, chronic background erosion (including hotspot erosion), and 2) periodic "storm
response" nourishment events to offset sand losses incurred during hurricanes or major storm
events. The individual management reaches are expected to require recurring maintenance sand
placements at approximate intervals of 3 years (Emerald Isle East), 6 years (Pine Knoll Shores,
Indian Beach/Salter Path, Bogue Inlet), and 9 years (Emerald Isle Central, Emerald Isle West) to
offset chronic background erosion. Each individual nourishment event will be unique based on
various factors; however, based on current projections and timelines, the range of days per event
could be 50-250 days with most events being 100-150 days.
The majority of the beach volume will come from offshore borrow sites along Bogue Banks
(Table 3). The proposed offshore borrow site sediments were analyzed for native beach
compatibility and determined to be suitable for placement on Bogue Banks in accordance with
the North Carolina Technical Standards for Beach Fill Projects [15A North Carolina
Administrative Code (NCAC) 07H.0312]. Dredging operations at the offshore borrow sites
would involve hopper dredges, but could also include the use of hydraulic cutterhead pipeline
dredges. Excavation would not extend to or below the original underlying seafloor. The use of
hopper dredges would involve sediment transport from the borrow sites to nearshore pump -out
stations, where the material would be pumped from the dredge through a submerged pipeline
leading to the recipient beach. Because each dredge has a different capacity and will be sailing a
10
different distance based on placement reach, 3 to 6 dredge trips per day are estimated per dredge.
Dredge companies may use up to 3 dredges at a time. Once the material is on the beach,
bulldozers will likely be used to shape the beach to the target elevations.
Table 3. The Northwest Corner Point of Each of the Proposed Offshore Borrow Sites
(WSG-84 Map Datum)
Offshore Borrow Sites
Latitude
Longitude
Old ODMDS
34.657715
-76.717213
Current ODMDS
34.641829
1
-76.749655
Area Y
34.635696
-77.060734
Additional volume of beach fill would be acquired from Atlantic Intracoastal Waterway
(AIWW) disposal areas or upland sand mines. The proposed AIWW sources include 10 USACE
Confined Disposal Facility (CDF) sites along the AIWW Bogue Inlet Crossing and adjoining
AIWW channels behind Bogue Banks and Bear Island. These sites are active diked facilities that
are used by the USACE for the disposal of dredged material from maintenance of the AIWW
channels. Beach fill extraction from the 10 AIWW disposal sites would most likely involve
pump -outs by a cutterhead dredge, with direct pipeline delivery to the beach or delivery via
scows/barges and nearshore pump -out stations (Table 4). The proposed upland sources include 6
permitted sand mines located in Carteret (4), Craven (1), and Onslow Counties (1). The use of
beach fill from the upland sites would involve delivery via dump trucks, with beach access via
public access points. Because we do not anticipate direct or indirect routes of effects to species
or critical habitat under NMFS jurisdiction due to the excavation of sand from the upland sand
mines, we will not discuss that aspect of the project further.
Table 4. Proposed Atlantic Intracoastal Waterway Sand Sources SG -84 Map Datum)
Upland Borrow Sites
Latitude
Longitude
DA
22
34.875003
-76.689928
DA
26
34.853449
-76.688191
DA
60
34.670853
-77.091197
DA
61
34.671103
-77.100498
DA
62
34.673104
-77.104618
DA
64
34.676396
-77.111057
DA
65
34.679373
-77.116551
DA
82
34.655206
-77.157750
DA
88
34.644307
-77.174643
DA
94
34.631291
-77.202616
As detailed below, another source of beach fill would include compatible dredged material
derived from realignments of the Bogue Inlet ebb channel.
11
3.1.2 Inlet Management
Bogue Inlet management would encompass periodic realignments of the ebb channel via
dredging to a mid -inlet position approximately every 10 to 15 years, with corresponding
placement of dredged material on the beaches of Emerald Isle. The initiation of realignment
projects would be based on the position of the ebb channel relative to the boundaries of an
established "Safe Box" within the inlet throat (Figure 1, Table 5). Based on the historical
patterns, the "Safe Box" was established with boundaries corresponding to the location where
acceleration of the ebb channel towards the west end of Emerald Isle has occurred in the past; the
"Safe Box" is not necessarily within the previously approved channel limits. The ebb channel
would be allowed to migrate freely so long as it remains within the boundaries of the "Safe
Box"; however, migration beyond the eastern boundary (i.e., towards Emerald Isle) would
trigger a preemptive ebb channel realignment event.
Figure 1. Proposed Bogue Inlet "Safe Box" with historical locations and 2005 ebb channel
realignment footprint.
12
Table 5. Proposed Location of Bogue Inlet "Safe Box" (WSG84 Map Datum)
"Safe Box"
Latitude
Longitude
Northwest Corner
34.647329
-77.120037
Northeast Corner
34.651840
-77.104904
Southeast Corner
34.639673
-77.099272
Southwest Corner
34.634968
-77.114293
Realignment events would entail the construction of a channel approximately 6,000 -feet (ft) -long
with bottom widths not to exceed 500 ft and project depths of approximately -16.5 ft North
American Vertical Datum (not including overdredge). Relatively shallow inlet depths would
require the use of a cutterhead dredge to excavate the new mid -inlet channel; however, a hopper
dredge may be used. Based on the projected interval of 10 to 15 years, 3 to 5 realignment events
would be expected over the 50 -year life of the project. Using vibracores taken in 2012, the
proposed channel footprint contains beach compatible material consisting of fine grained, poorly
sorted quartz sand with less than 1% fines and gravel, and approximately 15% calcium carbonate
in the form of shell hash.1
Due to the preemptive nature of realignment events, the need for a closure dike is generally not
anticipated, as there would be sufficient time for the old channel to fill in before it presents a
threat to Emerald Isle. However, in the event of extreme rapid ebb channel repositioning events
(e.g., due to shoal breaching or hurricanes), the ebb channel could present an immediate threat to
structures that would warrant the construction of a closure dike (like those shown in Figure 2)
across the old channel to facilitate infilling. In such cases, it is anticipated that the dredged
material from the new channel would be used to construct a closure dike across the old channel.
Excavation would proceed inland from the seaward terminus of the new channel, with dredged
material initially being pumped onto the Emerald Isle beaches. As work nears the inshore
terminus of the new channel, disposal would be redirected to the designated dike construction
area in the old channel.
1 Coastal Tech. 2013. Carteret County, North Carolina Sand Search Investigation, Final
Geotechnical Report. Prepared by: Coastal Tech, Melbourne, FL. Prepared for: Moffatt &
Nichol, Inc.
13
Figure 2. Example images of a closure dike (Images from the Carteret County Shore
Protection Office[https://www.carteretcountync.gov/295/Shore-Protection])
3.1.3 Proposed Best Management Practices
a. The construction window for each sand placement and channel relocation event will occur
November 16 — April 30 and will avoid the North Carolina sea turtle nesting and hatching
season as defined by the North Carolina Wildlife Resource Commission (May 1 — November
15), thus minimizing the likelihood of direct impacts on nesting adult females, nests, and
hatchlings.
b. All hopper dredging events will adhere to a November 16 — April 30 window, thus limiting
operations to the colder months when most sea turtles have moved to warmer waters well
seaward of the borrow sites.
c. Bogue Inlet ebb channel realignments would involve the use of a cutterhead dredge or hopper
dredges to excavate a new mid -inlet channel. Cutterhead dredges may also be employed in
borrow site operations. Cutterhead dredges are not known to entrain sea turtles or sturgeon.
14
3.1.4 Minimization Measures that will be Required of the County by the USACE and
BOEM
a. All vessel operators will abide by NMFS's February, 2008, Southeast Region Vessel Strike
Avoidance Measures and Reporting for Mariners.2
b. All in -water lines (rope, chain, and cable, including the lines to secure pipeline buoys) will be
made of stiff, taut, and non -looping material. Examples of such lines are heavy metal chains
or heavy cables that do not readily loop and tangle. Flexible in -water lines, such as nylon
rope or any lines that could loop or tangle, will be enclosed in a plastic or rubber sleeve/tube
to add rigidity and prevent the line from looping and tangling. In all instances, no excess line
will be allowed in the water.
c. If a sea turtle or manta ray is observed within 100 yards (yd) of any operations, all
appropriate precautions shall be implemented to ensure protection of the species, including
cessation of operation if an animal moves within 50 ft of any moving equipment. All vessel
operators will avoid collisions with swimming sea turtles, operate at "no wake/idle" speeds in
the construction area, and report any collision with and/or injury to a sea turtle within 24
hours to NMFS's Protected Resources Division (takereport.nmfsserknoaa.gov)and the local
sea turtle stranding/rescue organization.
d. All vessels greater than 65 ft will comply with the Right Whale Ship Strike Reduction Rule
(50 CFR 224.105; compliance guide included as Appendix 1). Between November 1 and
April 30, all dredge and attendant vessels greater than 65 ft will slow to 10 knots (kt) (or
minimum safe speed) when a North Atlantic right whale is spotted within 15 nmi of the
activity or transportation route within 24 hours, and one of the following conditions is
present: poor visibility (e.g., fog, precipitation), Beaufort Sea State > 3, or at night. By law,
all vessels operators shall maintain a 500 -yd buffer between the vessel and any North
Atlantic right whale (as required by Federal Regulation 50 CFR 224.103 (c)).
e. NMFS-approved protected species observers will live aboard the hopper dredges, monitoring
all dredge loads for evidence of endangered and threatened species, as well as recording
water temperatures, bycatch information, and any sightings of protected species in the area.
Screening will be placed on all points of dredged material inflow into the hopper prior to
work beginning, and protected species observers will monitor the screens for evidence of
protected species interactions.
f. Hopper dredges will be required to have rigid turtle deflectors installed on all dragheads.
The rigid deflector was developed under controlled conditions by the USACE's Waterways
Experimental Station, now known as the Engineering Research and Development Center. V-
shaped deflecting dragheads are a widely accepted conservation tool, the dredging industry is
familiar with them and their operation, and they are used by all USACE Districts that
conduct hopper dredge operations where sea turtles may be present. These dragheads
2 NMFS. 2008. Vessel Strike Avoidance Measures and Reporting for Mariners, Revised February 2008. National
Oceanic and Atmospheric Administration, National Marine Fisheries Service, Southeast Regional Office, Protected
Resources Division, Saint Petersburg, Florida.
15
prevent an unquantifiable yet significant number of sea turtles from being entrained and
killed in hopper dredges each year. Additionally, to prevent impingement of protected
species, particularly sea turtles or sturgeon, within the water column, every effort will be
made to keep the dredge pumps disengaged when the hopper dredge dragheads are not firmly
on the bottom and the rotating cutterhead will not be lifted from the sediment surface during
operations.
g. Relocation trawling employs a capture -relocation technique and is targeted at the active
dredging site within the borrow areas. Relocation trawling will be employed when water
temperatures exceed 57 degrees Fahrenheit (°F) (13.8 degrees Celsius [°C]) beginning 24
hours prior to hopper dredging. Regardless of water temperature, if 1 sea turtle or sturgeon
species is taken by a hopper dredge, trawlers will mobilize within 72 hours and 24-hour
trawling will commence. If a second sea turtle or sturgeon species is taken by hopper dredge
during the 72 -hour mobilization period, dredging will cease until relocation trawling can
begin. The applicant may choose to employ relocation trawling prior to meeting the above
take triggers.
During relocation trawling, 1 trawling vessel per dredge will operate 24 hours/day, 7
days/week. Tow times (i.e., the duration that the trawl net will be in the water and capable of
capturing sea turtles or sturgeon) during relocation trawling will be strictly limited to less
than 42 minutes total time. Trawling speeds will not exceed 3.5 kt. Protected species
observers will live aboard the relocation trawlers, monitoring all tows for endangered and
threatened species, as well as recording water temperatures, bycatch information, and any
sightings of protected species in the area. Any sea turtle or sturgeon species captured during
relocation trawling will be photographed, measured, biopsied for genetics, tagged, and
relocated.
3.2 Action Area
The action area is defined by regulation as "all areas to be affected directly or indirectly by the
federal action and not merely the immediate area involved in the action" (50 CFR 402.02). The
action area encompasses approximately 41,957 acres; including the entire island of Bogue Banks
from Bogue Inlet to Beaufort Inlet, portions of the adjacent islands of Shackleford Banks and
Bear Island, and the ocean waters and seafloor offshore of Bogue Banks that comprise proposed
borrow sites and potential sand transport routes (Tables 2-5 above, Figure 2 below). As stated
above, bottom type within the action area is quartz sand and shell hash. Depth within the action
area ranges from 3 to 36 ft in Bogue Inlet and 31 to 56 ft in each of the offshore borrow sites.
16
caneret �'°"
,k Bogue Sound —.;
Lagaid
Action Arm Habitat Type 120121 Submerged Aquatic Vegeuton(435.40 ac.)
State I Federal Oltshora Una - Beach and Fixed— (768.69 ac) Sabtidal (31429 ad at )
Bogue Banka h1HW(2012) Duna Grasses(705.69 aC.) Upland 5hnE-5cwt1(20270 dc,)
Hague Banks MLW (2012) Eelu hM and Manna Wetland (1977.01 ac) IAban 1 R—d—al (3893.94 ac.)
-I C ... ly Boendary — Freshwater LakalPond(86.21 ac.) - Wetland MW,d Fareated(12135 at
— Inledidal (957.71 ac) Welland Shnr45uu1, (230.46ac.)
— Maridme FonaM(111115.90ac)
U 1 d 6
Malas
Figure 3. The action area outlined in black (Image supplied by USACE).
4 STATUS OF LISTED SPECIES AND CRITICAL HABITAT
Table 6 provides the effect determinations for ESA -listed species the USACE, BOEM, and/or
NMFS believe may be affected by the proposed action.
17
Table 6. Effects Determinations for Species (DPSs) the Action Agencies and/or NMFS
Believe May Be Affected by the Proposed Action
Species
ESA
Listing
Status
Action Agency
Effect
Determination
NMFS Effect
Determination
Sea Turtles
Green (NA DPS)
T
LAA
LAA
Green (SA DPS)
T
--
LAA
Hawksbill
E
NLAA
NLAA
Kemp's ridley
E
LAA
LAA
Leatherback
E
LAA
NLAA
Loggerhead (Northwest Atlantic Ocean
[NWA] DPS)
T
LAA
LAA
Fish
Atlantic sturgeon (Gulf of Maine DPS)
T
NLAA
LAA
Atlantic sturgeon (New York Bight DPS)
E
NLAA
LAA
Atlantic sturgeon (Chesapeake Bay DPS)
E
NLAA
LAA
Atlantic sturgeon (Carolina DPS)
E
NLAA
LAA
Atlantic sturgeon (South Atlantic DPS)
E
NLAA
LAA
Giant manta ray
T
--
NLAA
Shortnose sturgeon
E
NLAA
NE
Marine Mammals
Blue whale
E
--
NLAA
Fin whale
E
--
NLAA
North Atlantic right whale
E
NLAA
NLAA
Sei whale
E
--
NLAA
Sperm whale
E
--
NLAA
E = endangered; T = threatened; NLAA = may affect, not likely to adversely affect; LAA =
likely to adversely affect; NE = no effect
Because adult Atlantic sturgeon from all DPSs mix extensively in marine waters, we expect fish
from all 5 DPSs (not just the Carolina DPS as proposed by USACE and BOEM; hereafter
referred to as "All 5 DPSs") to be present in the action area.
Shortnose sturgeon are not expected be present in the areas where the proposed action is
occurring. Prior assumptions were that shortnose sturgeon tended not to leave riverine waters
(i.e., venture beyond the freshwater -saltwater interface); however, in a recent report by the South
Carolina Division of National Resources (DNR) and Georgia DNR, the species was detected as
I:
far as 12.4 mi from the mouths of their spawning rivers in those states.3 While spawning data is
lacking for the rivers in North Carolina, the action area is located much greater than 12.4 mi
from the mouth of any major river that may be used for spawning (i.e., nearshore Atlantic Ocean
waters 67 mi south of the mouth of the Neuse River and 84 mi north of the mouth of the Cape
Fear River). Therefore, we believe the proposed action will have no effect on shortnose
sturgeon.
Table 7 provides the effects determinations for designated critical habitat occurring within the
action area that the USACE and/or NMFS believe may be affected by the proposed action.
Table 7. Effects Determinations for Designated Critical Habitat the Action Agency and/or
NMFS Believe May Be Affected by the Proposed Action
The proposed action is located within the boundary of loggerhead sea turtle designated critical
habitat (Nearshore Reproductive Habitat, Unit N-03). Nearshore Reproductive Habitat is the
portion of the nearshore waters adjacent to nesting beaches used by hatchlings to egress to the
open -water environment as well as by nesting females to transit between beach and open water
during the nesting season. The following primary constituent elements (PCEs) support this
habitat:
(i) Nearshore waters directly off the highest density nesting beaches and their adjacent
beaches, as identified in 50 CFR 17.95(c), to 1.6 km offshore;
(ii) Waters sufficiently free of obstructions or artificial lighting to allow transit through the
surf zone and outward toward open water; and
(iii) Waters with minimal manmade structures that could promote predators (i.e., nearshore
predator concentration caused by submerged and emergent offshore structures), disrupt
wave patterns necessary for orientation, and/or create excessive longshore currents.
Because the proposed action will avoid the North Carolina sea turtle nesting and hatching season
(May 1 — November 15), and will not involve the placement of obstructions in the water during
nesting season that would interfere with PCEs (ii) or (iii), we believe there is no effect to any of
the PCEs of loggerhead sea turtle designated critical habitat (Nearshore Reproductive Habitat,
Unit N-03).
4.1 Routes of Effect Not Likely to Adversely Affect Listed Species
3 Temporal and spatial distribution of Atlantic sturgeon (Acipenser oxyrinchus) in U.S. Territorial waters off South
Carolina and Georgia. Final (2013 to 2017) Report to the National Marine Fisheries Service National Oceanic and
Atmospheric Administration. Prepared by: South Carolina Department of Natural Resources Marine Resources
Division 217 Fort Johnson Road Charleston, South Carolina. December 22, 2017. Grant Number
NAI 3NMF4720045.
19
Critical
USACE Effect
NMFS Effect
Species
Habitat Unit
Determination
Determination
Nearshore
Loggerhead sea turtle (NWA DPS)
Reproductive,
NLAA
NE
Unit N-03
NLAA = may affect, not likely to adversely affect; NE
= No effect
The proposed action is located within the boundary of loggerhead sea turtle designated critical
habitat (Nearshore Reproductive Habitat, Unit N-03). Nearshore Reproductive Habitat is the
portion of the nearshore waters adjacent to nesting beaches used by hatchlings to egress to the
open -water environment as well as by nesting females to transit between beach and open water
during the nesting season. The following primary constituent elements (PCEs) support this
habitat:
(i) Nearshore waters directly off the highest density nesting beaches and their adjacent
beaches, as identified in 50 CFR 17.95(c), to 1.6 km offshore;
(ii) Waters sufficiently free of obstructions or artificial lighting to allow transit through the
surf zone and outward toward open water; and
(iii) Waters with minimal manmade structures that could promote predators (i.e., nearshore
predator concentration caused by submerged and emergent offshore structures), disrupt
wave patterns necessary for orientation, and/or create excessive longshore currents.
Because the proposed action will avoid the North Carolina sea turtle nesting and hatching season
(May 1 — November 15), and will not involve the placement of obstructions in the water during
nesting season that would interfere with PCEs (ii) or (iii), we believe there is no effect to any of
the PCEs of loggerhead sea turtle designated critical habitat (Nearshore Reproductive Habitat,
Unit N-03).
4.1 Routes of Effect Not Likely to Adversely Affect Listed Species
3 Temporal and spatial distribution of Atlantic sturgeon (Acipenser oxyrinchus) in U.S. Territorial waters off South
Carolina and Georgia. Final (2013 to 2017) Report to the National Marine Fisheries Service National Oceanic and
Atmospheric Administration. Prepared by: South Carolina Department of Natural Resources Marine Resources
Division 217 Fort Johnson Road Charleston, South Carolina. December 22, 2017. Grant Number
NAI 3NMF4720045.
19
4. LI Sea Turtles
The U.S. Fish and Wildlife Service (USFWS) and NMFS share jurisdiction for recovery and
conservation of sea turtles listed under the ESA. NMFS is the lead for the conservation and
recovery of sea turtles in the marine environment, and USFWS is the lead for the conservation
and recovery of sea turtles on nesting beaches. Because responsibility for ESA consultation on
the effects related to nesting beaches are under the purview of USFWS, those effects are not
discussed in this Opinion.
In this section, we analyze potential routes of effect that are not likely to adversely affect listed
sea turtles, and we conclude that the proposed action is not likely to adversely affect hawksbill or
leatherback sea turtles. We discuss adverse effects to other listed sea turtles in Section 4.2.1.
Potential effects to sea turtles in the marine environment include the risk of interaction with non -
hopper type dredging equipment (i.e., hydraulic cutterhead dredging) or material during
dredging. NMFS has previously determined in dredging biological opinions that, while
oceangoing hopper -type dredges may lethally entrain protected species, non -hopper type
dredging methods, as proposed for this project, are slower and extremely unlikely to affect these
species (NMFS 2007). Therefore, we conclude that the risk of injury to listed sea turtles from
cutterhead dredging equipment associated with the proposed action is discountable.
The action area contains nearshore habitat that green (NA DPS and SA DPS), loggerhead (NWA
DPS), and Kemp's ridley sea turtles may use for reproduction (i.e., ingress and egress for nesting
and hatching). These species may avoid the use of the action area due to dredging and the in -
water aspect of the placement of dredged material (i.e., "pump -outs" and direct pipeline delivery
for beach nourishment and/or a temporary closure dike). The project will avoid the North
Carolina sea turtle nesting and hatching season. Therefore, the effect to pregnant females and
hatchlings from any disruption in use of the action area is highly unlikely and discountable. Any
other sea turtle species -life stages (e.g., juveniles or adult males) in the action area will likely
temporarily avoid the immediate project vicinity during in -water activities due to noise from
vessels and machinery. We believe the effect of temporary avoidance of the action area to these
sea turtle species -life stages will be insignificant given the availability of similar habitat nearby.
Because these species -life stages are highly mobile, we expect that they will move away from
these activities and use the adjacent open -water areas. Therefore, the effects to these 3 sea turtle
species from the temporary loss of foraging or developmental habitat during dredging activities
will be insignificant. The use of stiff, taut, and non -looping in -water lines to secure pipeline
buoys will further reduce the risk of this aspect of the project to all sea turtle species -life stages
in the action area.
Relocation trawling could affect nesting female sea turtles who may be en route to the nesting
beach; however, we believe this effect is highly unlikely, and therefore, discountable. All
dredging, and therefore all relocation trawling, will avoid the North Carolina sea turtle nesting
and hatching season.
Vessels can strike sea turtles, leading to injury or death. Up to 3 dredges will make a maximum
of 6 round trips per day to the borrow area during each nourishment event. However, weather
20
events, equipment maintenance, and other operational procedures will likely mean that fewer
than 6 trips per day are completed. There may also be hours or days between dredge trips to and
from the area. If and when relocation trawling is triggered, up to 1 trawling vessel per dredge
(maximum 3 total) will operate 24 hours/day, 7 days/week. Any vessel traffic in the area due to
the proposed action will be temporary, occurring 50-250 days with most events being 100-150
days per year. Given the temporary and intermittent nature of increased vessel traffic and the
implementation of minimization measures that have successfully been used to avoid vessel
interactions in the past (i.e., slow vessel speeds, use of species observers on all vessels, and
cessation of work if protected species are observed), NMFS believes that the effect to sea turtles
from vessel strike will be highly unlikely, and therefore, discountable.
We believe the effect of the hopper dredging and relocation trawling components of the action
on hawksbill and leatherback sea turtles are highly unlikely, and therefore, discountable, due to
their infrequent use of the action area and our review of previous similar dredging projects
in/near the action area. First, hopper dredging at the offshore borrow sites will occur in colder
months when most sea turtles have moved to warmer waters. Second, these 2 species rarely nest
in North Carolina; no nests of hawksbill or leatherback sea turtles have been recorded on Bogue
Banks 2009-2017 (Seaturtle.org accessed by consulting biologist on March 19, 2018). Third,
strandings of these 2 species along Bogue Banks are infrequent (2 hawksbill and 2 leatherback
sea turtle strandings from 1976 to March 2018) and dredging was not the suspected reason for
any reported strandings (Seaturtle.org accessed on March 19, 2018, by the consulting biologist).
Further, examination of similar projects in close proximity to the action area (i.e., inshore and
offshore), that employed hopper dredging and/or relocation trawling, and occurred during the
time of year in which the proposed action will occur (Table 12 and 14), indicated no hawksbill or
leatherback sea turtles have been taken (data provided directly to consultation biologist by
USACE and BOEM on March 30, April 4, and September 7, 2018). Additionally, NMFS
determined in the 1997 SARBO that leatherback sea turtles are not likely to be adversely
affected by hopper dredging (NMFS 1997c; NMFS 2007), and we have not received any new
information that would change the basis of this determination.
4.1.2 Atlantic Sturgeon
NMFS has analyzed the routes of effect Atlantic sturgeon from the proposed action. Potential
routes of effect not likely to adversely affect sturgeon species include: physical injury from non -
hopper type dredging equipment, vessel traffic, and avoidance of available habitat during
dredging operations. We discuss adverse effects to Atlantic sturgeon in Section 4.2.2.
Potential effects not likely to adversely affect Atlantic sturgeon include the risk of interaction
with non -hopper type dredging equipment (i.e., hydraulic cutterhead dredging) or material during
dredging. Sturgeon are a highly mobile species and NMFS has previously determined in
dredging biological opinions that, while oceangoing hopper -type dredges may lethally entrain
protected species, non -hopper type dredging methods are slower and extremely unlikely to affect
highly mobile species (NMFS 2007). Further, Dickerson (2011) summarized observed lethal
take of Atlantic sturgeon from maintenance dredging of federal navigation channels conducted
by the USACE along the U.S. Atlantic coast from 1990-2010 and none were reported from
21
interactions with cutterhead dredges. Therefore, we conclude the risk of injury from cutterhead
dredging equipment to Atlantic sturgeon is discountable.
Atlantic sturgeon are also susceptible to vessel strikes, as demonstrated by limited standing
records that show both species have been struck by large shipping vessels in narrow channels in
the Northeast. Narrow channels, combined with the deep drafts of shipping vessels, prevent
sturgeon from being able to avoid interactions with the vessels. However, the action area does
not contain narrow shipping channels that limit the species' ability to avoid vessels. In addition,
navigational markers alert both recreational and commercial boaters to shallow areas in the
action area, to prevent groundings. Because vessels are likely to rely on these markers to avoid
shallow areas for safety reasons, there is little risk that the boats will be in shallow waters where
they could interact with Atlantic sturgeon. Vessel interactions with Atlantic sturgeon are
extremely unlikely, and therefore, discountable.
The action area contains offshore habitat that Atlantic sturgeon may use for foraging,
reproduction, and/or migration and may be a mix of sturgeon from multiple DPSs. Atlantic
sturgeon may avoid the use of the action area due to dredging activity. Because these species are
mobile, we expect that they will move away from dredging activities and use the adjacent open -
water areas with similar habitat. Additionally, the loss of habitat due to avoidance will be
temporary and intermittent. Therefore, the effects to Atlantic sturgeon from the temporary loss
of foraging habitat during dredging activities will be insignificant.
4.1.3 Marine Mammals
NMFS determined that potential effects on North Atlantic right whale, blue whale, fin whale, sei
whale, and humpback whale from the proposed action include injury from potential interactions
with a dredge vessel or a relocation trawler and temporary avoidance of the area during offshore
dredge operation and relocation trawling.
Vessels can strike whale species, leading to injury or death. All dredge and attendant vessels
greater than 65 ft will be required to abide by the Right Whale Ship Strike Reduction Rule (50
CFR 224.105) and follow the Southeast Region Vessel Strike Avoidance Measures and Reporting
for Mariners. Dredge vessel collisions are not expected with any whale species due to the slow
speed of the dredge (i.e., up to 3.5 kt while dredging), the avoidance behavior of whales to slow
moving vessels, and the presence of NMFS-approved observers on board every dredge and
relocation trawler. With implementation of these mandatory conservation measures, NMFS
believes that the effect to North Atlantic right whale, blue whale, fin whale, sei whale, and
humpback whale from vessel strike will be highly unlikely, and therefore discountable.
Whale species may be affected by the temporary loss of open water habitat due to dredging
activities. North Atlantic right whales are most often present in coastal waters of North Carolina
from November 1 to April 30 when dredging will occur. During this time, this species is
generally migrating between their northern feeding and mating area and their southern calving
area; however, any whale species could be present in the action area at any time. All whales will
likely avoid the use of the action area due to dredging activity. Because these species are highly
mobile, we expect that they will move away from dredging activities and use the adjacent open -
water areas. We do not anticipate any other effects from the temporary loss of open water
22
habitat to North Atlantic right whale mothers and/or calves as they move through this area.
Therefore, the effect to any whale species from the temporary loss of habitat during offshore
dredging activities will be insignificant.
Based on the above analysis, we conclude that all potential effects from the proposed action to
North Atlantic right whale, blue whale, fin whale, sei whale, and humpback whale are
discountable or insignificant; therefore these species will not be discussed further in this
Opinion.
4.1.4 Giant Manta Ray
NMFS determined that potential effects on giant manta ray from the proposed action are limited
to the following: physical injury from non -hopper type dredging equipment, injury from
potential interactions with a dredge vessel or a relocation trawler, and temporary avoidance of
the area during offshore dredge operation and relocation trawling.
Potential effects to the giant manta ray include the risk of interaction with non -hopper type
dredging equipment (i.e., hydraulic cutterhead dredging) or material during dredging. Giant
manta ray are a highly mobile species and NMFS has previously determined in dredging
biological opinions that, while oceangoing hopper -type dredges may lethally entrain protected
species, non -hopper type dredging methods are slower and extremely unlikely to affect highly
mobile species (NMFS 2007), (NMFS 1997c). We believe that our previous conclusions
regarding highly -mobile species can be appropriately applied to the giant manta ray, as we
expect this highly -mobile species to exhibit a similar response to non -hopper type dredging
equipment as other high -mobile species. We have no information indicating that giant manta
rays are more susceptible to injury from non -hopper type dredging equipment than other
similarly mobile species. Therefore, we conclude that the risk of injury from cutterhead
dredging equipment to giant manta ray is discountable.
Vessels can strike manta rays, leading to injury or death. Dredge vessel collisions are not
expected with any manta ray species due to the slow speed of the dredge (i.e., up to 3.5 kt while
dredging), the avoidance behavior of manta rays to slow moving vessels, and the presence of
NMFS-approved observers on board every dredge and relocation trawler to watch for ESA -listed
species in the area. NMFS believes that the effect to giant manta ray from vessel strike will be
highly unlikely, and therefore discountable. The implementation of the minimization measures
stated above (i.e., slow vessel speeds, use of species observers on all vessels, and cessation of
work if protected species are observed) will further reduce the risk of vessel interaction with
giant manta ray.
We believe the effect of the hopper dredging and relocation trawling components of the action
on giant manta ray is highly unlikely, and therefore, discountable, because we do not expect this
species to be present during the time period when hopper dredging and relocation trawling are
taking place. The proposed action will occur in the winter months (November to April) off the
coast of North Carolina and the best available data indicates giant manta ray is likely seasonal,
spending the winter months off the east coast of Florida (N. Farmer, NMFS Protected Resources
Division [PRD], pers. comm. to consulting biologist on May 2, 2018).
23
Because all potential effects from the proposed action to giant manta ray were found to be
discountable or insignificant, this species will not be discussed further in this Opinion.
4.2 Status of the Species Likely to Be Adversely Affected
The following subsections are synopses of the best available information on the statuses of the
species that are likely to be adversely affected by one or more components of the proposed
action, including species-specific information on the distribution, population structure, life
history, abundance, and population trends, and threats; subsection 4.2.1d is a synopsis of general
threats faced by all sea turtles. The biology and ecology of these species as well as their status
and trends inform the effects analysis for this Opinion and will be discussed further in Section 8.
4.2.1 Sea Turtles
4.2.1a Green Sea Turtle (NA and SA DPSs)
The green sea turtle was originally listed as threatened under the ESA on July 28, 1978, except
for the Florida and Pacific coast of Mexico breeding populations, which were listed as
endangered. On April 6, 2016, the original listing was replaced with the listing of 11 distinct
population segments (DPSs) (81 FR 20057 2016). The Mediterranean, Central West Pacific, and
Central South Pacific DPSs were listed as endangered. The North Atlantic, South Atlantic,
Southwest Indian, North Indian, East Indian -West Pacific, Southwest Pacific, Central North
Pacific, and East Pacific were listed as threatened. For the purposes of this consultation, only the
South Atlantic DPS (SA DPS) and North Atlantic DPS (NA DPS) will be considered, as they are
the only two DPSs with individuals occurring in the Atlantic and Gulf of Mexico waters of the
United States.
Figure 4. Threatened (light) and endangered (dark) green turtle DPSs: 1. North Atlantic,
2. Mediterranean, 3. South Atlantic, 4. Southwest Indian, 5. North Indian, 6. East Indian -
West Pacific, 7. Central West Pacific, 8. Southwest Pacific, 9. Central South Pacific, 10.
Central North Pacific, and 11. East Pacific.
24
Species Description and Distribution
The green sea turtle is the largest of the hardshell marine turtles, growing to a weight of 350 lb
(159 kg) with a straight carapace length of greater than 3.3 ft (1 m). Green sea turtles have a
smooth carapace with 4 pairs of lateral (or costal) scutes and a single pair of elongated prefrontal
scales between the eyes. They typically have a black dorsal surface and a white ventral surface,
although the carapace of green sea turtles in the Atlantic Ocean has been known to change in
color from solid black to a variety of shades of grey, green, or brown and black in starburst or
irregular patterns (Lagueux 2001).
With the exception of post-hatchlings, green sea turtles live in nearshore tropical and subtropical
waters where they generally feed on marine algae and seagrasses. They have specific foraging
grounds and may make large migrations between these forage sites and natal beaches for nesting
(Hays et al. 2001). Green sea turtles nest on sandy beaches of mainland shores, barrier islands,
coral islands, and volcanic islands in more than 80 countries worldwide (Hirth 1997). The 2
largest nesting populations are found at Tortuguero, on the Caribbean coast of Costa Rica (part
of the NA DPS), and Raine Island, on the Pacific coast of Australia along the Great Barrier Reef.
Differences in mitochondrial DNA properties of green sea turtles from different nesting regions
indicate there are genetic subpopulations (Bowen et al. 1992; FitzSimmons et al. 2006). Despite
the genetic differences, sea turtles from separate nesting origins are commonly found mixed
together on foraging grounds throughout the species' range. Within U.S. waters individuals from
both the NA and SA DPSs can be found on foraging grounds. While there are currently no in-
depth studies available to determine the percent of NA and SA DPS individuals in any given
location, two small-scale studies provide an insight into the degree of mixing on the foraging
grounds. An analysis of cold -stunned green turtles in St. Joseph Bay, Florida (northern Gulf of
Mexico) found approximately 4% of individuals came from nesting stocks in the SA DPS
(specifically Suriname, Aves Island, Brazil, Ascension Island, and Guinea Bissau) (Foley et al.
2007). On the Atlantic coast of Florida, a study on the foraging grounds off Hutchinson Island
found that approximately 5% of the turtles sampled came from the Aves Island/Suriname nesting
assemblage, which is part of the SA DPS (Bass and Witzell 2000). All of the individuals in both
studies were benthic juveniles. Available information on green turtle migratory behavior
indicates that long distance dispersal is only seen for juvenile turtles. This suggests that larger
adult -sized turtles return to forage within the region of their natal rookeries, thereby limiting the
potential for gene flow across larger scales (Monz6n-Arguello et al. 2010). While all of the
mainland U.S. nesting individuals are part of the NA DPS, the U.S. Caribbean nesting
assemblages are split between the NA and SA DPS. Nesters in Puerto Rico are part of the NA
DPS, while those in the U.S. Virgin Islands are part of the SA DPS. We do not currently have
information on what percent of individuals on the U.S. Caribbean foraging grounds come from
which DPS.
North Atlantic DPS Distribution
The NA DPS boundary is illustrated in Figure 4. Four regions support nesting concentrations of
particular interest in the NA DPS: Costa Rica (Tortuguero), Mexico (Campeche, Yucatan, and
Quintana Roo), U.S. (Florida), and Cuba. By far the most important nesting concentration for
25
green turtles in this DPS is Tortuguero, Costa Rica. Nesting also occurs in the Bahamas, Belize,
Cayman Islands, Dominican Republic, Haiti, Honduras, Jamaica, Nicaragua, Panama, Puerto
Rico, Turks and Caicos Islands, and North Carolina, South Carolina, Georgia, and Texas, U.S.A.
In the eastern North Atlantic, nesting has been reported in Mauritania (Fretey 2001).
The complete nesting range of NA DPS green sea turtles within the southeastern United States
includes sandy beaches between Texas and North Carolina, as well as Puerto Rico (Dow et al.
2007; NMFS and USFWS 1991a). The vast majority of green sea turtle nesting within the
southeastern United States occurs in Florida (Johnson and Ehrhart 1994; Meylan et al. 1995).
Principal U.S. nesting areas for green sea turtles are in eastern Florida, predominantly Brevard
south through Broward counties.
In U.S. Atlantic and Gulf of Mexico waters, green sea turtles are distributed throughout inshore
and nearshore waters from Texas to Massachusetts. Principal benthic foraging areas in the
southeastern United States include Aransas Bay, Matagorda Bay, Laguna Madre, and the Gulf
inlets of Texas (Doughty 1984; Hildebrand 1982; Shaver 1994), the Gulf of Mexico off Florida
from Yankeetown to Tarpon Springs (Caldwell and Carr 1957), Florida Bay and the Florida
Keys (Schroeder and Foley 1995), the Indian River Lagoon system in Florida (Ehrhart 1983),
and the Atlantic Ocean off Florida from Brevard through Broward Counties (Guseman and
Ehrhart 1992; Wershoven and Wershoven 1992). The summer developmental habitat for green
sea turtles also encompasses estuarine and coastal waters from North Carolina to as far north as
Long Island Sound (Musick and Limpus 1997). Additional important foraging areas in the
western Atlantic include the Culebra archipelago and other Puerto Rico coastal waters, the south
coast of Cuba, the Mosquito Coast of Nicaragua, the Caribbean coast of Panama, scattered areas
along Colombia and Brazil (Hirth 1971), and the northwestern coast of the Yucatan Peninsula.
South Atlantic DPS Distribution
The SA DPS boundary is shown in Figure 1, and includes the U.S. Virgin Islands in the
Caribbean. The SA DPS nesting sites can be roughly divided into four regions: western Africa,
Ascension Island, Brazil, and the South Atlantic Caribbean (including Colombia, the Guianas,
and Aves Island in addition to the numerous small, island nesting sites).
The in -water range of the SA DPS is widespread. In the eastern South Atlantic, significant sea
turtle habitats have been identified, including green turtle feeding grounds in Corisco Bay,
Equatorial Guinea/Gabon (Formia 1999); Congo; Mussulo Bay, Angola (Carr and Carr 1991); as
well as Principe Island. Juvenile and adult green turtles utilize foraging areas throughout the
Caribbean areas of the South Atlantic, often resulting in interactions with fisheries occurring in
those same waters (Dow et al. 2007). Juvenile green turtles from multiple rookeries also
frequently utilize the nearshore waters off Brazil as foraging grounds as evidenced from the
frequent captures by fisheries (Lima et al. 2010; L6pez-Barrera et al. 2012; Marcovaldi et al.
2009). Genetic analysis of green turtles on the foraging grounds off Ubatuba and Almofala,
Brazil show mixed stocks coming primarily from Ascension, Suriname and Trindade as a
secondary source, but also Aves, and even sometimes Costa Rica (North Atlantic DPS)(Naro-
Maciel et al. 2007; Naro-Maciel et al. 2012). While no nesting occurs as far south as Uruguay
and Argentina, both have important foraging grounds for South Atlantic green turtles (Gonzalez
26
Carman et al. 2011; Lezama 2009; L6pez-Mendilaharsu et al. 2006; Prosdocimi et al. 2012;
Rivas-Zinno 2012).
Life History Information
Green sea turtles reproduce sexually, and mating occurs in the waters off nesting beaches and
along migratory routes. Mature females return to their natal beaches (i.e., the same beaches
where they were born) to lay eggs (Balazs 1982; Frazer and Ehrhart 1985) every 2-4 years while
males are known to reproduce every year (Balazs 1983). In the southeastern United States,
females generally nest between June and September, and peak nesting occurs in June and July
(Witherington and Ehrhart 1989b). During the nesting season, females nest at approximately 2 -
week intervals, laying an average of 3-4 clutches (Johnson and Ehrhart 1996). Clutch size often
varies among subpopulations, but mean clutch size is approximately 110-115 eggs. In Florida,
green sea turtle nests contain an average of 136 eggs (Witherington and Ehrhart 1989b). Eggs
incubate for approximately 2 months before hatching. Hatchling green sea turtles are
approximately 2 inches (5 cm) in length and weigh approximately 0.9 ounces (25 grams).
Survivorship at any particular nesting site is greatly influenced by the level of man-made
stressors, with the more pristine and less disturbed nesting sites (e.g., along the Great Barrier
Reef in Australia) showing higher survivorship values than nesting sites known to be highly
disturbed (e.g., Nicaragua) (Campell and Lagueux 2005; Chaloupka and Limpus 2005).
After emerging from the nest, hatchlings swim to offshore areas and go through a post -hatchling
pelagic stage where they are believed to live for several years. During this life stage, green sea
turtles feed close to the surface on a variety of marine algae and other life associated with drift
lines and debris. This early oceanic phase remains one of the most poorly understood aspects of
green sea turtle life history (NMFS and USFWS 2007a). Green sea turtles exhibit particularly
slow growth rates of about 0.4-2 inches (1-5 cm) per year (Green 1993), which may be attributed
to their largely herbivorous, low -net energy diet (Bjorndal 1982). At approximately 8-10 inches
(20-25 cm) carapace length, juveniles leave the pelagic environment and enter nearshore
developmental habitats such as protected lagoons and open coastal areas rich in sea grass and
marine algae. Growth studies using skeletochronology indicate that green sea turtles in the
western Atlantic shift from the oceanic phase to nearshore developmental habitats after
approximately 5-6 years (Bresette et al. 2006; Zug and Glor 1998). Within the developmental
habitats, juveniles begin the switch to a more herbivorous diet, and by adulthood feed almost
exclusively on seagrasses and algae (Rebel 1974), although some populations are known to also
feed heavily on invertebrates (Carballo et al. 2002). Green sea turtles mature slowly, requiring
20-50 years to reach sexual maturity (Chaloupka and Musick 1997a; Hirth 1997).
While in coastal habitats, green sea turtles exhibit site fidelity to specific foraging and nesting
grounds, and it is clear they are capable of "homing in" on these sites if displaced (McMichael et
al. 2003). Reproductive migrations of Florida green sea turtles have been identified through
flipper tagging and/or satellite telemetry. Based on these studies, the majority of adult female
Florida green sea turtles are believed to reside in nearshore foraging areas throughout the Florida
Keys and in the waters southwest of Cape Sable, and some post -nesting turtles also reside in
Bahamian waters as well (NMFS and USFWS 2007a).
27
Status and Population Dynamics
Accurate population estimates for marine turtles do not exist because of the difficulty in
sampling turtles over their geographic ranges and within their marine environments.
Nonetheless, researchers have used nesting data to study trends in reproducing sea turtles over
time. A summary of nesting trends and nester abundance is provided in the most recent status
review for the species (Seminoff et al. 2015), with information for each of the DPSs.
North Atlantic DPS
The NA DPS is the largest of the 11 green turtle DPSs, with an estimated nester abundance of
over 167,000 adult females from 73 nesting sites. Overall this DPS is also the most data rich.
Eight of the sites have high levels of abundance (i.e., <1000 nesters), located in Costa Rica,
Cuba, Mexico, and Florida. All major nesting populations demonstrate long-term increases in
abundance (Seminoff et al. 2015).
Tortuguero, Costa Rica is by far the predominant nesting site, accounting for an estimated 79%
of nesting for the DPS (Seminoff et al. 2015). Nesting at Tortuguero appears to have been
increasing since the 1970's, when monitoring began. For instance, from 1971-1975 there were
approximately 41,250 average annual emergences documented and this number increased to an
average of 72,200 emergences from 1992-1996 (Bjorndal et al. 1999). Troeng and Rankin
(2005) collected nest counts from 1999-2003 and also reported increasing trends in the
population consistent with the earlier studies, with nest count data suggesting 17,402-37,290
nesting females per year (NMFS and USFWS 2007a). Modeling by Chaloupka et al. (2008)
using data sets of 25 years or more resulted in an estimate of the Tortuguero, Costa Rica
population's growing at 4.9% annually.
In the continental United States, green sea turtle nesting occurs along the Atlantic coast,
primarily along the central and southeast coast of Florida (Meylan et al. 1994; Weishampel et al.
2003). Occasional nesting has also been documented along the Gulf Coast of Florida (Meylan et
al. 1995). Green sea turtle nesting is documented annually on beaches of North Carolina, South
Carolina, and Georgia, though nesting is found in low quantities (up to tens of nests) (nesting
databases maintained on www.seaturtle.org).
In Florida, index beaches were established to standardize data collection methods and effort on
key nesting beaches. Since establishment of the index beaches in 1989, the pattern of green sea
turtle nesting has generally shown biennial peaks in abundance with a positive trend during the
10 years of regular monitoring (Figure 5). According to data collected from Florida's index
nesting beach survey from 1989-2017, green sea turtle nest counts across Florida have increased
dramatically, from a low of 267 in the early 1990s to a high of 38,954 in 2017. Two consecutive
years of nesting declines in 2008 and 2009 caused some concern, but this was followed by
increases in 2010 and 2011, and a return to the trend of biennial peaks in abundance thereafter
(Figure 5). Modeling by Chaloupka et al. (2008) using data sets of 25 years or more resulted in
an estimate of the Florida nesting stock at the Archie Carr National Wildlife Refuge growing at
an annual rate of 13.9% at that time. Increases have been even more rapid in recent years.
9.9
Figure 5. Green sea turtle nesting at Florida index beaches since 1989
Similar to the nesting trend found in Florida, in -water studies in Florida have also recorded
increases in green turtle captures at the Indian River Lagoon site, with a 661 percent increase
over 24 years (Ehrhart et al. 2007), and the St Lucie Power Plant site, with a significant increase
in the annual rate of capture of immature green turtles (SCL<90 cm) from 1977 to 2002 or 26
years (3,557 green turtles total; M. Bressette, Inwater Research Group, unpubl. data;
(Witherington et al. 2006).
South Atlantic DPS
The SA DPS is large, estimated at over 63,000 nesters, but data availability is poor. More than
half of the 51 identified nesting sites (37) did not have sufficient data to estimate number of
nesters or trends (Seminoff et al. 2015). This includes some sites, such as beaches in French
Guiana, which are suspected to have large numbers of nesters. Therefore, while the estimated
number of nesters may be substantially underestimated, we also do not know the population
trends at those data -poor beaches. However, while the lack of data was a concern due to
increased uncertainty, the overall trend of the SA DPS was not considered to be a major concern
as some of the largest nesting beaches such as Ascension Island, Aves Island (Venezuela), and
Galibi (Suriname) appear to be increasing. Others such as Trindade (Brazil), Atol das Rocas
(Brazil), and Poildo and the rest of Guinea-Bissau seem to be stable or do not have sufficient data
to make a determination. Bioko (Equatorial Guinea) appears to be in decline but has less nesting
than the other primary sites (Seminoff et al. 2015).
29
In the U.S., nesting of SA DPS green turtles occurs on the beaches of the U.S. Virgin Islands,
primarily on Buck Island. There is insufficient data to determine a trend for Buck Island nesting,
and it is a smaller rookery, with approximately 63 total nesters utilizing the beach (Seminoff et
al. 2015).
Threats
The principal cause of past declines and extirpations of green sea turtle assemblages has been the
overexploitation of the species for food and other products. Although intentional take of green
sea turtles and their eggs is not extensive within the southeastern United States, green sea turtles
that nest and forage in the region may spend large portions of their life history outside the region
and outside U.S. jurisdiction, where exploitation is still a threat. Green sea turtles also face many
of the same threats as other sea turtle species, including destruction of nesting habitat from storm
events, oceanic events such as cold -stunning, pollution (e.g., plastics, petroleum products,
petrochemicals), ecosystem alterations (e.g., nesting beach development, beach nourishment and
shoreline stabilization, vegetation changes), poaching, global climate change, fisheries
interactions, natural predation, and disease. A discussion on general sea turtle threats can be
found in Section 4.2.1 d.
In addition to general threats, green sea turtles are susceptible to natural mortality from
Fibropapillomatosis (FP) disease. FP results in the growth of tumors on soft external tissues
(flippers, neck, tail, etc.), the carapace, the eyes, the mouth, and internal organs (gastrointestinal
tract, heart, lungs, etc.) of turtles (Aguirre et al. 2002; Herbst 1994; Jacobson et al. 1989). These
tumors range in size from 0.04 inches (0.1 cm) to greater than 11.81 inches (30 cm) in diameter
and may affect swimming, vision, feeding, and organ function (Aguirre et al. 2002; Herbst 1994;
Jacobson et al. 1989). Presently, scientists are unsure of the exact mechanism causing this
disease, though it is believed to be related to both an infectious agent, such as a virus (Herbst et
al. 1995), and environmental conditions (e.g., habitat degradation, pollution, low wave energy,
and shallow water (Foley et al. 2005). FP is cosmopolitan, but it has been found to affect large
numbers of animals in specific areas, including Hawaii and Florida (Herbst 1994; Jacobson
1990; Jacobson et al. 1991).
Cold -stunning is another natural threat to green sea turtles. Although it is not considered a major
source of mortality in most cases, as temperatures fall below 46.4°-50°F (8°-10°C) turtles may
lose their ability to swim and dive, often floating to the surface. The rate of cooling that
precipitates cold -stunning appears to be the primary threat, rather than the water temperature
itself (Milton and Lutz 2003). Sea turtles that overwinter in inshore waters are most susceptible
to cold -stunning because temperature changes are most rapid in shallow water (Witherington and
Ehrhart 1989a). During January 2010, an unusually large cold -stunning event in the southeastern
United States resulted in around 4,600 sea turtles, mostly greens, found cold -stunned, and
hundreds found dead or dying. A large cold -stunning event occurred in the western Gulf of
Mexico in February 2011, resulting in approximately 1,650 green sea turtles found cold -stunned
in Texas. Of these, approximately 620 were found dead or died after stranding, while
approximately 1,030 turtles were rehabilitated and released. During this same time frame,
approximately 340 green sea turtles were found cold -stunned in Mexico, though approximately
300 of those were subsequently rehabilitated and released.
30
Whereas oil spill impacts are discussed generally for all species in Section 4.2.1d, specific
impacts of the Deepwater Horizon (DWH) spill on green sea turtles are considered here. Impacts
to green sea turtles occurred to offshore small juveniles only. A total of 154,000 small juvenile
greens (36.6% of the total small juvenile sea turtle exposures to oil from the spill) were estimated
to have been exposed to oil. A large number of small juveniles were removed from the
population, as 57,300 small juveniles greens are estimated to have died as a result of the
exposure. A total of 4 nests (580 eggs) were also translocated during response efforts, with 455
hatchlings released (the fate of which is unknown) (DWH Trustees 2015b). Additional
unquantified effects may have included inhalation of volatile compounds, disruption of foraging
or migratory movements due to surface or subsurface oil, ingestion of prey species contaminated
with oil and/or dispersants, and loss of foraging resources which could lead to compromised
growth and/or reproductive potential. There is no information currently available to determine
the extent of those impacts, if they occurred.
While green turtles regularly use the northern Gulf of Mexico, they have a widespread
distribution throughout the entire Gulf of Mexico, Caribbean, and Atlantic, and the proportion of
the population using the northern Gulf of Mexico at any given time is relatively low. Although it
is known that adverse impacts occurred and numbers of animals in the Gulf of Mexico were
reduced as a result of the Deepwater Horizon oil spill of 2010, the relative proportion of the
population that is expected to have been exposed to and directly impacted by the DWH event, as
well as the impacts being primarily to smaller juveniles (lower reproductive value than adults
and large juveniles), reduces the impact to the overall population. It is unclear what impact these
losses may have caused on a population level, but it is not expected to have had a large impact on
the population trajectory moving forward. However, recovery of green turtle numbers equivalent
to what was lost in the northern Gulf of Mexico as a result of the spill will likely take decades of
sustained efforts to reduce the existing threats and enhance survivorship of multiple life stages
(DWH Trustees 2015b).
4.2.1b Kemp's ridley Sea Turtle
The Kemp's ridley sea turtle was listed as endangered on December 2, 1970, under the
Endangered Species Conservation Act of 1969, a precursor to the ESA. Internationally, the
Kemp's ridley is considered the most endangered sea turtle (Groombridge 1982; TEWG 2000;
Zwinenberg 1977).
Species Description and Distribution
The Kemp's ridley sea turtle is the smallest of all sea turtles. Adults generally weigh less than
100 lb (45 kg) and have a carapace length of around 2.1 ft (65 cm). Adult Kemp's ridley shells
are almost as wide as they are long. Coloration changes significantly during development from
the grey -black dorsum and plastron of hatchlings, a grey -black dorsum with a yellowish -white
plastron as post -pelagic juveniles, and then to the lighter grey -olive carapace and cream -white or
yellowish plastron of adults. There are 2 pairs of prefrontal scales on the head, 5 vertebral
scutes, usually 5 pairs of costal scutes, and generally 12 pairs of marginal scutes on the carapace.
In each bridge adjoining the plastron to the carapace, there are 4 scutes, each of which is
perforated by a pore.
31
Kemp's ridley habitat largely consists of sandy and muddy areas in shallow, nearshore waters
less than 120 ft (37 m) deep, although they can also be found in deeper offshore waters. These
areas support the primary prey species of the Kemp's ridley sea turtle, which consist of
swimming crabs, but may also include fish, jellyfish, and an array of mollusks.
The primary range of Kemp's ridley sea turtles is within the Gulf of Mexico basin, though they
also occur in coastal and offshore waters of the U.S. Atlantic Ocean. Juvenile Kemp's ridley sea
turtles, possibly carried by oceanic currents, have been recorded as far north as Nova Scotia.
Historic records indicate a nesting range from Mustang Island, Texas, in the north to Veracruz,
Mexico, in the south. Kemp's ridley sea turtles have recently been nesting along the Atlantic
Coast of the United States, with nests recorded from beaches in Florida, Georgia, and the
Carolinas. In 2012, the first Kemp's ridley sea turtle nest was recorded in Virginia. The Kemp's
ridley nesting population had been exponentially increasing prior to the recent low nesting years,
which may indicate that the population had been experiencing a similar increase. Additional
nesting data in the coming years will be required to determine what the recent nesting decline
means for the population trajectory.
Life History Information
Kemp's ridley sea turtles share a general life history pattern similar to other sea turtles. Females
lay their eggs on coastal beaches where the eggs incubate in sandy nests. After 45-58 days of
embryonic development, the hatchlings emerge and swim offshore into deeper, ocean water
where they feed and grow until returning at a larger size. Hatchlings generally range from 1.65-
1.89 in (42-48 mm) straight carapace length (SCL), 1.26-1.73 in (32-44 mm) in width, and 0.3-
0.4 lb (15-20 g) in weight. Their return to nearshore coastal habitats typically occurs around 2
years of age (Ogren 1989a), although the time spent in the oceanic zone may vary from 1-4 years
or perhaps more (TEWG 2000). Juvenile Kemp's ridley sea turtles use these nearshore coastal
habitats from April through November, but they move towards more suitable overwintering
habitat in deeper offshore waters (or more southern waters along the Atlantic coast) as water
temperature drops.
The average rates of growth may vary by location, but generally fall within 2.2-2.9 ± 2.4 in per
year (5.5-7.5 ± 6.2 cm/year) (Schmid and Barichivich 2006; Schmid and Woodhead 2000). Age
to sexual maturity ranges greatly from 5-16 years, though NMFS et al. (2011a) determined the
best estimate of age to maturity for Kemp's ridley sea turtles was 12 years. It is unlikely that
most adults grow very much after maturity. While some sea turtles nest annually, the weighted
mean remigration rate for Kemp's ridley sea turtles is approximately 2 years. Nesting generally
occurs from April to July. Females lay approximately 2.5 nests per season with each nest
containing approximately 100 eggs (Marquez M. 1994).
Population Dynamics
Of the 7 species of sea turtles in the world, the Kemp's ridley has declined to the lowest
population level. Most of the population of adult females nest on the beaches of Rancho Nuevo,
Mexico (Pritchard 1969). When nesting aggregations at Rancho Nuevo were discovered in
1947, adult female populations were estimated to be in excess of 40,000 individuals (Hildebrand
32
1963). By the mid-1980s, however, nesting numbers from Rancho Nuevo and adjacent Mexican
beaches were below 1,000, with a low of 702 nests in 1985. Yet, nesting steadily increased
through the 1990s, and then accelerated during the first decade of the twenty-first century
(Figure 8), which indicates the species is recovering.
It is worth noting that when the Bi -National Kemp's Ridley Sea Turtle Population Restoration
Project was initiated in 1978, only Rancho Nuevo nests were recorded. In 1988, nesting data
from southern beaches at Playa Dos and Barra del Tordo were added. In 1989, data from the
northern beaches of Barra Ostionales and Tepehuajes were added, and most recently in 1996,
data from La Pesca and Altamira beaches were recorded. Currently, nesting at Rancho Nuevo
accounts for just over 81% of all recorded Kemp's ridley nests in Mexico. Following a
significant, unexplained 1 -year decline in 2010, Kemp's ridley nests in Mexico increased to
21,797 in 2012 (Gladys Porter Zoo 2013). From 2013 through 2014, there was a second
significant decline, as only 16,385 and 11,279 nests were recorded, respectively. Recent data,
however, indicates an increase in nesting. In 2015 there were 14,006 recorded nests, and in 2016
overall numbers increased to 18,354 recorded nests (Gladys Porter Zoo 2016). Preliminary
information indicates a record high nesting season in 2017, with 24,570 nests recorded (J. Pena,
pers. comm., August 31, 2017). At this time, it is unclear if future nesting will steadily and
continuously increase, similar to what occurred from 1990-2009, or if nesting will continue to
exhibit sporadic declines and increases as recorded in the past 8 years.
A small nesting population is also emerging in the United States, primarily in Texas, rising from
6 nests in 1996 to 42 in 2004, to a record high of 353 nests in 2017 (National Park Service data,
http://www.nps.gov/pais/naturescience/stip.htm, http://www.nps.gov/pais/naturescience/current-
season.htm). It is worth noting that nesting in Texas has paralleled the trends observed in
Mexico, characterized by a significant decline in 2010, followed by a second decline in 2013-
2014, but with a rebound in 2015.
33
30,000
25,000
20,000
N
H
W 15,000
Z
10,000
5,000
ti��� ti��� ���� tig�� ti��� �g�� ��'� ti��� ti��� ��'� ti�'� ��o - f 0, f 0, -0, "p, 41) ti01
YEAR
Figure 6. Kemp's ridley nest totals from Mexican beaches (Gladys Porter Zoo nesting
database 2017)
Through modelling, Heppell et al. (2005) predicted the population is expected to increase at least
12-16% per year and could reach at least 10,000 females nesting on Mexico beaches by 2015.
NMFS et al. (2011a) produced an updated model that predicted the population to increase 19%
per year and to attain at least 10,000 females nesting on Mexico beaches by 2011.
Approximately 25,000 nests would be needed for an estimate of 10,000 nesters on the beach,
based on an average 2.5 nests/nesting female. While counts did not reach 25,000 nests by 2015,
it is clear that the population has increased over the long term. The increases in Kemp's ridley
sea turtle nesting over the last 2 decades is likely due to a combination of management measures
including elimination of direct harvest, nest protection, the use of TEDs, reduced trawling effort
in Mexico and the United States, and possibly other changes in vital rates (TEWG 1998a; TEWG
2000). While these results are encouraging, the species' limited range as well as low global
abundance makes it particularly vulnerable to new sources of mortality as well as demographic
and environmental randomness, all factors which are often difficult to predict with any certainty.
Additionally, the significant nesting declines observed in 2010 and 2013-2014 potentially
indicate a serious population -level impact, and there is cause for concern regarding the ongoing
recovery trajectory.
Threats
Kemp's ridley sea turtles face many of the same threats as other sea turtle species, including
destruction of nesting habitat from storm events, oceanic events such as cold -stunning, pollution
9i!
(plastics, petroleum products, petrochemicals, etc.), ecosystem alterations (nesting beach
development, beach nourishment and shoreline stabilization, vegetation changes, etc.), poaching,
global climate change, fisheries interactions, natural predation, and disease. A discussion on
general sea turtle threats can be found in Section 4.2.1 d; the remainder of this section will
expand on a few of the aforementioned threats and how they may specifically impact Kemp's
ridley sea turtles.
As Kemp's ridley sea turtles continue to recover and nesting arribadas4 are increasingly
established, bacterial and fungal pathogens in nests are also likely to increase. Bacterial and
fungal pathogen impacts have been well documented in the large arribadas of the olive ridley at
Nancite in Costa Rica (Mo 1988). In some years, and on some sections of the beach, the
hatching success can be as low as 5% (Mo 1988). As the Kemp's ridley nest density at Rancho
Nuevo and adjacent beaches continues to increase, appropriate monitoring of emergence success
will be necessary to determine if there are any density -dependent effects.
Over the past 6 years, NMFS has documented (via the Sea Turtle Stranding and Salvage
Network data, htlp://www.sefsc.noaa.gov/species/turtles/strandings.htm) elevated sea turtle
strandings in the Northern Gulf of Mexico, particularly throughout the Mississippi Sound area.
In the first 3 weeks of June 2010, over 120 sea turtle strandings were reported from Mississippi
and Alabama waters, none of which exhibited any signs of external oiling to indicate effects
associated with the DWH oil spill event. A total of 644 sea turtle strandings were reported in
2010 from Louisiana, Mississippi, and Alabama waters, 561 (87%) of which were Kemp's ridley
sea turtles. During March through May of 2011, 267 sea turtle strandings were reported from
Mississippi and Alabama waters alone. A total of 525 sea turtle strandings were reported in
2011 from Louisiana, Mississippi, and Alabama waters, with the majority (455) having occurred
from March through July, 390 (86%) of which were Kemp's ridley sea turtles. During 2012, a
total of 384 sea turtles were reported from Louisiana, Mississippi, and Alabama waters. Of these
reported strandings, 343 (89%) were Kemp's ridley sea turtles. During 2014, a total of 285 sea
turtles were reported from Louisiana, Mississippi, and Alabama waters, though the data is
incomplete. Of these reported strandings, 229 (80%) were Kemp's ridley sea turtles. These
stranding numbers are significantly greater than reported in past years; Louisiana, Mississippi,
and Alabama waters reported 42 and 73 sea turtle strandings for 2008 and 2009, respectively. It
should be noted that stranding coverage has increased considerably due to the DWH oil spill
event.
Nonetheless, considering that strandings typically represent only a small fraction of actual
mortality, these stranding events potentially represent a serious impact to the recovery and
survival of the local sea turtle populations. While a definitive cause for these strandings has not
been identified, necropsy results indicate a significant number of stranded turtles from these
events likely perished due to forced submergence, which is commonly associated with fishery
interactions (B. Stacy, NMFS, pers. comm. to M. Barnette, NMFS PRD, March 2012). Yet,
available information indicates fishery effort was extremely limited during the stranding events.
The fact that 80% or more of all Louisiana, Mississippi, and Alabama stranded sea turtles in the
past 5 years were Kemp's ridleys is notable; however, this could simply be a function of the
4 Arribada is the Spanish word for "arrival" and is the term used for massive synchronized nesting within the genus
Lepidochelys.
35
species' preference for shallow, inshore waters coupled with increased population abundance, as
reflected in recent Kemp's ridley nesting increases.
In response to these strandings, and due to speculation that fishery interactions may be the cause,
fishery observer effort was shifted to evaluate the inshore skimmer trawl fishery during the
summer of 2012. During May -July of that year, observers reported 24 sea turtle interactions in
the skimmer trawl fishery. All but a single sea turtle were identified as Kemp's ridleys (1 sea
turtle was an unidentified hardshell turtle). Encountered sea turtles were all very small juvenile
specimens, ranging from 7.6-19.0 in (19.4-48.3 cm) curved carapace length (CCL). All sea
turtles were released alive. The small average size of encountered Kemp's ridleys introduces a
potential conservation issue, as over 50% of these reported sea turtles could potentially pass
through the maximum 4 -in bar spacing of TEDs currently required in the shrimp fishery. Due to
this issue, a proposed 2012 rule to require TEDs in the skimmer trawl fishery (77 FR 27411) was
not implemented. Based on anecdotal information, these interactions were a relatively new issue
for the inshore skimmer trawl fishery. Given the nesting trends and habitat utilization of Kemp's
ridley sea turtles, it is likely that fishery interactions in the Northern Gulf of Mexico may
continue to be an issue of concern for the species, and one that may potentially slow the rate of
recovery for Kemp's ridley sea turtles.
While oil spill impacts are discussed generally for all species in Section 4.2.1d, specific impacts
of the DWH oil spill event on Kemp's ridley sea turtles are considered here. Kemp's ridleys
experienced the greatest negative impact stemming from the DWH oil spill event of any sea
turtle species. Impacts to Kemp's ridley sea turtles occurred to offshore small juveniles, as well
as large juveniles and adults. Loss of hatchling production resulting from injury to adult turtles
was also estimated for this species. Injuries to adult turtles of other species, such as loggerheads,
certainly would have resulted in unrealized nests and hatchlings to those species as well. Yet,
the calculation of unrealized nests and hatchlings was limited to Kemp's ridleys for several
reasons. All Kemp's ridleys in the Gulf belong to the same population (NMFS et al. 2011a), so
total population abundance could be calculated based on numbers of hatchlings because all
individuals that enter the population could reasonably be expected to inhabit the northern Gulf of
Mexico throughout their lives (DWH Trustees 2015b).
A total of 217,000 small juvenile Kemp's ridleys (51.5% of the total small juvenile sea turtle
exposures to oil from the spill) were estimated to have been exposed to oil. That means
approximately half of all small juvenile Kemp's ridleys from the total population estimate of
430,000 oceanic small juveniles were exposed to oil. Furthermore, a large number of small
juveniles were removed from the population, as up to 90,300 small juveniles Kemp's ridleys are
estimated to have died as a direct result of the exposure. Therefore, as much as 20% of the small
oceanic juveniles of this species were killed during that year. Impacts to large juveniles (>3
years old) and adults were also high. An estimated 21,990 such individuals were exposed to oil
(about 22% of the total estimated population for those age classes); of those, 3,110 mortalities
were estimated (or 3% of the population for those age classes). The loss of near -reproductive
and reproductive -stage females would have contributed to some extent to the decline in total
nesting abundance observed between 2011 and 2014. The estimated number of unrealized
Kemp's ridley nests is between 1,300 and 2,000, which translates to between approximately
65,000 and 95,000 unrealized hatchlings (DWH Trustees 2015b). This is a minimum estimate,
36
however, because the sublethal effects of the DWH oil spill event on turtles, their prey, and their
habitats might have delayed or reduced reproduction in subsequent years, which may have
contributed substantially to additional nesting deficits observed following the DWH oil spill
event. These sublethal effects could have slowed growth and maturation rates, increased
remigration intervals, and decreased clutch frequency (number of nests per female per nesting
season). The nature of the DWH oil spill event effect on reduced Kemp's ridley nesting
abundance and associated hatchling production after 2010 requires further evaluation. It is clear
that the DWH oil spill event resulted in large losses to the Kemp's ridley population across
various age classes, and likely had an important population -level effect on the species. Still, we
do not have a clear understanding of those impacts on the population trajectory for the species
into the future.
4.2.1c Loggerhead Sea Turtle (NWA DPS)
The loggerhead sea turtle was listed as a threatened species throughout its global range on July
28, 1978. NMFS and USFWS published a Final Rule which designated 9 DPSs for loggerhead
sea turtles (76 FR 58868, September 22, 2011, and effective October 24, 2011). This rule listed
the following DPSs: (1) Northwest Atlantic Ocean (threatened), (2) Northeast Atlantic Ocean
(endangered), (3) South Atlantic Ocean (threatened), (4) Mediterranean Sea (endangered), (5)
North Pacific Ocean (endangered), (6) South Pacific Ocean (endangered), (7) North Indian
Ocean (endangered), (8) Southeast Indo-Pacific Ocean (endangered), and (9) Southwest Indian
Ocean (threatened). The Northwest Atlantic (NWA) DPS is the only one that occurs within the
action area, and therefore it is the only one considered in this Opinion.
Species Description and Distribution
Loggerheads are large sea turtles. Adults in the southeast United States average about 3 ft (92
cm) long, measured as a straight carapace length (SCL), and weigh approximately 255 lb (116
kg) (Ehrhart and Yoder 1978). Adult and subadult loggerhead sea turtles typically have a light
yellow plastron and a reddish brown carapace covered by non -overlapping scutes that meet along
seam lines. They typically have 11 or 12 pairs of marginal scutes, 5 pairs of costals, 5 vertebrals,
and a nuchal (precentral) scute that is in contact with the first pair of costal scutes (Dodd Jr.
1988).
The loggerhead sea turtle inhabits continental shelf and estuarine environments throughout the
temperate and tropical regions of the Atlantic, Pacific, and Indian Oceans (Dodd Jr. 1988).
Habitat uses within these areas vary by life stage. Juveniles are omnivorous and forage on crabs,
mollusks, jellyfish, and vegetation at or near the surface (Dodd Jr. 1988). Subadult and adult
loggerheads are primarily found in coastal waters and eat benthic invertebrates such as mollusks
and decapod crustaceans in hard bottom habitats.
The majority of loggerhead nesting occurs at the western rims of the Atlantic and Indian Oceans
concentrated in the north and south temperate zones and subtropics (NRC 1990a). For the NWA
DPS, most nesting occurs along the coast of the United States, from southern Virginia to
Alabama. Additional nesting beaches for this DPS are found along the northern and western
Gulf of Mexico, eastern Yucatan Peninsula, at Cay Sal Bank in the eastern Bahamas (Addison
37
1997; Addison and Morford 1996), off the southwestern coast of Cuba (Moncada Gavilan 2001),
and along the coasts of Central America, Colombia, Venezuela, and the eastern Caribbean
Islands.
Non -nesting, adult female loggerheads are reported throughout the U.S. Atlantic, Gulf of
Mexico, and Caribbean Sea. Little is known about the distribution of adult males who are
seasonally abundant near nesting beaches. Aerial surveys suggest that loggerheads as a whole
are distributed in U.S. waters as follows: 54% off the southeast U.S. coast, 29% off the northeast
U.S. coast, 12% in the eastern Gulf of Mexico, and 5% in the western Gulf of Mexico (TEWG
1998a).
Within the NWA DPS, most loggerhead sea turtles nest from North Carolina to Florida and
along the Gulf Coast of Florida. Previous Section 7 analyses have recognized at least 5 western
Atlantic subpopulations, divided geographically as follows: (1) a Northern nesting
subpopulation, occurring from North Carolina to northeast Florida at about 29°N; (2) a South
Florida nesting subpopulation, occurring from 29°N on the east coast of the state to Sarasota on
the west coast; (3) a Florida Panhandle nesting subpopulation, occurring at Eglin Air Force Base
and the beaches near Panama City, Florida; (4) a Yucatan nesting subpopulation, occurring on
the eastern Yucatan Peninsula, Mexico (Marquez M. 1990; TEWG 2000); and (5) a Dry
Tortugas nesting subpopulation, occurring in the islands of the Dry Tortugas, near Key West,
Florida (NMFS 2001).
The recovery plan for the Northwest Atlantic population of loggerhead sea turtles concluded that
there is no genetic distinction between loggerheads nesting on adjacent beaches along the Florida
Peninsula. It also concluded that specific boundaries for subpopulations could not be designated
based on genetic differences alone. Thus, the recovery plan uses a combination of geographic
distribution of nesting densities, geographic separation, and geopolitical boundaries, in addition
to genetic differences, to identify recovery units. The recovery units are as follows: (1) the
Northern Recovery Unit (Florida/Georgia border north through southern Virginia), (2) the
Peninsular Florida Recovery Unit (Florida/Georgia border through Pinellas County, Florida), (3)
the Dry Tortugas Recovery Unit (islands located west of Key West, Florida), (4) the Northern
Gulf of Mexico Recovery Unit (Franklin County, Florida, through Texas), and (5) the Greater
Caribbean Recovery Unit (Mexico through French Guiana, the Bahamas, Lesser Antilles, and
Greater Antilles) (NMFS and USFWS 2008b). The recovery plan concluded that all recovery
units are essential to the recovery of the species. Although the recovery plan was written prior to
the listing of the NWA DPS, the recovery units for what was then termed the Northwest Atlantic
population apply to the NWA DPS.
Life History Information
The Northwest Atlantic Loggerhead Recovery Team defined the following 8 life stages for the
loggerhead life cycle, which include the ecosystems those stages generally use: (1) egg
(terrestrial zone), (2) hatchling stage (terrestrial zone), (3) hatchling swim frenzy and transitional
stage (neritic zones), (4) juvenile stage (oceanic zone), (5) juvenile stage (neritic zone), (6) adult
5 Neritic refers to the nearshore marine environment from the surface to the sea floor where water depths do not
exceed 200 meters.
stage (oceanic zone), (7) adult stage (neritic zone), and (8) nesting female (terrestrial zone)
(NMFS and USFWS 2008b). Loggerheads are long-lived animals. They reach sexual maturity
between 20-38 years of age, although age of maturity varies widely among populations (Frazer
and Ehrhart 1985; NMFS 2001). The annual mating season occurs from late March to early
June, and female turtles lay eggs throughout the summer months. Females deposit an average of
4.1 nests within a nesting season (Murphy and Hopkins 1984), but an individual female only
nests every 3.7 years on average (Tucker 2010). Each nest contains an average of 100-126 eggs
(Dodd Jr. 1988) which incubate for 42-75 days before hatching (NMFS and USFWS 2008b).
Loggerhead hatchlings are 1.5-2 inches long and weigh about 0.7 ounce (20 g).
As post-hatchlings, loggerheads hatched on U.S. beaches enter the "oceanic juvenile" life stage,
migrating offshore and becoming associated with Sargassum habitats, driftlines, and other
convergence zones (Carr 1986; Conant et al. 2009a; Witherington 2002). Oceanic juveniles
grow at rates of 1-2 inches (2.9-5.4 cm) per year (Bjorndal et al. 2003; Snover 2002) over a
period as long as 7-12 years (Bolten et al. 1998) before moving to more coastal habitats. Studies
have suggested that not all loggerhead sea turtles follow the model of circumnavigating the
North Atlantic Gyre as pelagic juveniles, followed by permanent settlement into benthic
environments (Bolten and Witherington 2003; Laurent et al. 1998). These studies suggest some
turtles may either remain in the oceanic habitat in the North Atlantic longer than hypothesized, or
they move back and forth between oceanic and coastal habitats interchangeably (Witzell 2002).
Stranding records indicate that when immature loggerheads reach 15-24 in (40-60 cm) SCL, they
begin to reside in coastal inshore waters of the continental shelf throughout the U.S. Atlantic and
Gulf of Mexico (Witzell 2002).
After departing the oceanic zone, neritic juvenile loggerheads in the Northwest Atlantic inhabit
continental shelf waters from Cape Cod Bay, Massachusetts, south through Florida, the Bahamas,
Cuba, and the Gulf of Mexico. Estuarine waters of the United States, including areas such as
Long Island Sound, Chesapeake Bay, Pamlico and Core Sounds, Mosquito and Indian River
Lagoons, Biscayne Bay, Florida Bay, as well as numerous embayments fringing the Gulf of
Mexico, comprise important inshore habitat. Along the Atlantic and Gulf of Mexico shoreline,
essentially all shelf waters are inhabited by loggerheads (Conant et al. 2009a).
Like juveniles, non -nesting adult loggerheads also use the neritic zone. However, these adult
loggerheads do not use the relatively enclosed shallow -water estuarine habitats with limited
ocean access as frequently as juveniles. Areas such as Pamlico Sound, North Carolina, and the
Indian River Lagoon, Florida, are regularly used by juveniles but not by adult loggerheads.
Adult loggerheads do tend to use estuarine areas with more open ocean access, such as the
Chesapeake Bay in the U.S. mid-Atlantic. Shallow -water habitats with large expanses of open
ocean access, such as Florida Bay, provide year-round resident foraging areas for significant
numbers of male and female adult loggerheads (Conant et al. 2009a).
Offshore, adults primarily inhabit continental shelf waters, from New York south through
Florida, the Bahamas, Cuba, and the Gulf of Mexico. Seasonal use of mid-Atlantic shelf waters,
especially offshore New Jersey, Delaware, and Virginia during summer months, and offshore
shelf waters, such as Onslow Bay (off the North Carolina coast), during winter months has also
been documented (Hawkes et al. 2007)Georgia Department of Natural Resources, unpublished
39
data; South Carolina Department of Natural Resources, unpublished data). Satellite telemetry
has identified the shelf waters along the west Florida coast, the Bahamas, Cuba, and the Yucatan
Peninsula as important resident areas for adult female loggerheads that nest in Florida (Foley et
al. 2008; Girard et al. 2009; Hart et al. 2012). The southern edge of the Grand Bahama Bank is
important habitat for loggerheads nesting on the Cay Sal Bank in the Bahamas, but nesting
females are also resident in the bights of Eleuthera, Long Island, and Ragged Islands. They also
reside in Florida Bay in the United States, and along the north coast of Cuba (A. Bolten and K.
Bjorndal, University of Florida, unpublished data). Moncada et al. (2010) report the recapture of
5 adult female loggerheads in Cuban waters originally flipper -tagged in Quintana Roo, Mexico,
which indicates that Cuban shelf waters likely also provide foraging habitat for adult females that
nest in Mexico.
Status and Population Dynamics
A number of stock assessments and similar reviews (Conant et al. 2009a; Heppell et al. 2003;
NMFS-SEFSC 2009a; NMFS 2001; NMFS and USFWS 2008b; TEWG 1998a; TEWG 2000;
TEWG 2009) have examined the stock status of loggerheads in the Atlantic Ocean, but none
have been able to develop a reliable estimate of absolute population size.
Numbers of nests and nesting females can vary widely from year to year. Nesting beach surveys,
though, can provide a reliable assessment of trends in the adult female population, due to the
strong nest site fidelity of female loggerhead sea turtles, as long as such studies are sufficiently
long and survey effort and methods are standardized (e.g., (NMFS and USFWS 2008b). NMFS
and USFWS (2008b) concluded that the lack of change in 2 important demographic parameters
of loggerheads, remigration interval and clutch frequency, indicate that time series on numbers
of nests can provide reliable information on trends in the female population.
Peninsular Florida Recover
The Peninsular Florida Recovery Unit (PFRU) is the largest loggerhead nesting assemblage in
the Northwest Atlantic. A near-complete nest census (all beaches including index nesting
beaches) undertaken from 1989 to 2007 showed an average of 64,513 loggerhead nests per year,
representing approximately 15,735 nesting females per year (NMFS and USFWS 2008b). The
statewide estimated total for 2017 was 96,912 nests (FWRI nesting database).
In addition to the total nest count estimates, the Florida Fish and Wildlife Research Institute
(FWRI) uses an index nesting beach survey method. The index survey uses standardized data -
collection criteria to measure seasonal nesting and allow accurate comparisons between beaches
and between years. This provides a better tool for understanding the nesting trends (Figure 6).
FWRI performed a detailed analysis of the long-term loggerhead index nesting data (1989-2016;
http://myfwc.com/research/wildlife/sea-turtles/nesting/loggerhead-trend/). Over that time period,
3 distinct trends were identified. From 1989-1998, there was a 24% increase that was followed
by a sharp decline over the subsequent 9 years. A large increase in loggerhead nesting has
occurred since, as indicated by the 71% increase in nesting over the 10 -year period from 2007
and 2016. Nesting in 2016 also represented a new record for loggerheads on the core index
beaches. FWRI examined the trend from the 1998 nesting high through 2016 and found that the
.O
decade-long post -1998 decline was replaced with a slight but nonsignificant increasing trend.
Looking at the data from 1989 through 2016, FWRI concluded that there was an overall positive
change in the nest counts although it was not statistically significant due to the wide variability
between 2012-2016 resulting in widening confidence intervals
(http://myfwc.com/research/wildlife/sea-turtles/nesting/loggerhead-trend/). Nesting at the core
index beaches declined in 2017 to 48,033, which is still the 4th highest total since 2001.
70,000
60,000
50,000 PYOXk
LA40,000
LALA
W
Z30,000
20,000
10,000
0
1989 1991 1993 1995 1997 1999 2001 2003 2005 2007 2009 2011 2013 2015 2017
Year
Figure 7. Loggerhead sea turtle nesting at Florida index beaches since 1989
Northern Recover
Annual nest totals from beaches within the Northern Recovery Unit (NRU) averaged 5,215 nests
from 1989-2008, a period of near-complete surveys of NRU nesting beaches (Georgia
Department of Natural Resources [GADNR] unpublished data, North Carolina Wildlife
Resources Commission [NCWRC] unpublished data, South Carolina Department of Natural
Resources [SCDNR] unpublished data), and represent approximately 1,272 nesting females per
year, assuming 4.1 nests per female (Murphy and Hopkins 1984). The loggerhead nesting trend
from daily beach surveys showed a significant decline of 1.3% annually from 1989-2008. Nest
totals from aerial surveys conducted by SCDNR showed a 1.9% annual decline in nesting in
South Carolina from 1980-2008. Overall, there are strong statistical data to suggest the NRU
had experienced a long-term decline over that period of time.
Data since that analysis (Table 8) are showing improved nesting numbers and a departure from
the declining trend. Georgia nesting has rebounded to show the first statistically significant
increasing trend since comprehensive nesting surveys began in 1989 (Mark Dodd, GADNR press
release, http://www.georgiawildlife.com/node/3139). South Carolina and North Carolina nesting
41
have also begun to shift away from the past declining trend. Loggerhead nesting in Georgia,
South Carolina, and North Carolina all broke records in 2015 and then topped those records
again in 2016. Nesting in 2017 declined relative to 2016, back to levels seen in 2013 and 2015.
Table 8. Total Number of NRU Loggerhead Nests (GADNR, SCDNR, and NCWRC
nesting datasets compiled at Seaturtle.ora)
Nests
Recorded
2008
2009
2010
2011
2012
2013
2014
2015
2016
2017
Georgia
1,649
998
1,760
1,992
2,241
2,289
1,196
2,319
3,265
2,155
South
Carolina
4,500
2,182
3,141
4,015
4,615
5,193
2,083
5,104
6,443
5,232
North
Carolina
841
302
856
950
1,074
1,260
542
1,254
1,612
1,195
Total
6,990
3,472
5,757
6,957
7,930
8,742
3,821
8,677
11,320
8,582
South Carolina also conducts an index beach nesting survey similar to the one described for
Florida. Although the survey only includes a subset of nesting, the standardized effort and
locations allow for a better representation of the nesting trend over time. Increases in nesting
were seen for the period from 2009-2013, with a subsequent steep drop in 2014. Nesting then
rebounded in 2015 and 2016, setting new highs each of those years. Nesting in 2017 dropped
back down from the 2016 high, but was still the second highest on record (Figure 7).
3500
Loggerhead Nest Counts on South Carolina Index Beaches
3000
®
2500-
Z
m
2000-
X
p 1500
J
w
0
m
1000-
E
7
2 500
D
N M It H'0 N 0 T O .-I N M 't H '0 N 0 T O N N M W 0 N 0 a O N N M d H 0 N
0 m 0 m 0 0 0 0 0 0 T 0 0 T 0 0 0 0 0 0 0 0 0 00 0 0 0 A A A. ti .i ..
0 0 0 0 0 0 00 0 0 0 0 0 0 0 0 0 0 0
I N N N N N N N N N N N N N N N N N N
Figure 8. South Carolina index nesting beach counts for loggerhead sea turtles (from the
SCDNR website: http://www.dnr.sc.gov/seaturtle/nest.htm)
Other Northwest Atlantic DPS Recovery Units
The remaining 3 recovery units -Dry Tortugas (DTRU), Northern Gulf of Mexico (NGMRU),
and Greater Caribbean (GCRU)-are much smaller nesting assemblages, but they are still
42
considered essential to the continued existence of the species. Nesting surveys for the DTRU are
conducted as part of Florida's statewide survey program. Survey effort was relatively stable
during the 9 -year period from 1995-2004, although the 2002 year was missed. Nest counts
ranged from 168-270, with a mean of 246, but there was no detectable trend during this period
(NMFS and USFWS 2008b). Nest counts for the NGMRU are focused on index beaches rather
than all beaches where nesting occurs. Analysis of the 12 -year dataset (1997-2008) of index
nesting beaches in the area shows a statistically significant declining trend of 4.7% annually.
Nesting on the Florida Panhandle index beaches, which represents the majority of NGMRU
nesting, had shown a large increase in 2008, but then declined again in 2009 and 2010 before
rising back to a level similar to the 2003-2007 average in 2011. Nesting survey effort has been
inconsistent among the GCRU nesting beaches, and no trend can be determined for this
subpopulation (NMFS and USFWS 2008b). Zurita et al. (2003) found a statistically significant
increase in the number of nests on 7 of the beaches on Quintana Roo, Mexico, from 1987-2001,
where survey effort was consistent during the period. Nonetheless, nesting has declined since
2001, and the previously reported increasing trend appears to not have been sustained (NMFS
and USFWS 2008b).
In -water Trends
Nesting data are the best current indicator of sea turtle population trends, but in -water data also
provide some insight. In -water research suggests the abundance of neritic juvenile loggerheads
is steady or increasing. Although Ehrhart et al. (2007) found no significant regression -line trend
in a long-term dataset, researchers have observed notable increases in catch per unit effort
(CPUE) (Arendt et al. 2009; Ehrhart et al. 2007; Epperly et al. 2007). Researchers believe that
this increase in CPUE is likely linked to an increase in juvenile abundance, although it is unclear
whether this increase in abundance represents a true population increase among juveniles or
merely a shift in spatial occurrence. Bjorndal et al. (2005), cited in NMFS and USFWS (2008b),
caution about extrapolating localized in -water trends to the broader population and relating
localized trends in neritic sites to population trends at nesting beaches. The apparent overall
increase in the abundance of neritic loggerheads in the southeastern United States may be due to
increased abundance of the largest oceanic/neritic juveniles (historically referred to as small
benthic juveniles), which could indicate a relatively large number of individuals around the same
age may mature in the near future (TEWG 2009). In -water studies throughout the eastern United
States, however, indicate a substantial decrease in the abundance of the smallest oceanic/neritic
juvenile loggerheads, a pattern corroborated by stranding data (TEWG 2009).
Population Estimate
The NMFS Southeast Fisheries Science Center developed a preliminary stage/age demographic
model to help determine the estimated impacts of mortality reductions on loggerhead sea turtle
population dynamics (NMFS-SEFSC 2009a). The model uses the range of published
information for the various parameters including mortality by stage, stage duration (years in a
stage), and fecundity parameters such as eggs per nest, nests per nesting female, hatchling
emergence success, sex ratio, and remigration interval. Resulting trajectories of model runs for
each individual recovery unit, and the western North Atlantic population as a whole, were found
to be very similar. The model run estimates from the adult female population size for the
43
western North Atlantic (from the 2004-2008 time frame), suggest the adult female population
size is approximately 20,000-40,000 individuals, with a low likelihood of females' numbering up
to 70,000 (NMFS-SEFSC 2009a). A less robust estimate for total benthic females in the western
North Atlantic was also obtained, yielding approximately 30,000-300,000 individuals, up to less
than 1 million (NMFS-SEFSC 2009a). A preliminary regional abundance survey of loggerheads
within the northwestern Atlantic continental shelf for positively identified loggerhead in all strata
estimated about 588,000 loggerheads (interquartile range of 382,000-817,000). When correcting
for unidentified turtles in proportion to the ratio of identified turtles, the estimate increased to
about 801,000 loggerheads (interquartile range of 521,000-1,111,000) (NMFS-NEFSC 2011).
Threats (Specific to Loggerhead Sea Turtles)
The threats faced by loggerhead sea turtles are well summarized in the general discussion of
threats in Section 4.2.1 d. Yet the impact of fishery interactions is a point of further emphasis for
this species. The joint NMFS and USFWS Loggerhead Biological Review Team determined that
the greatest threats to the NWA DPS of loggerheads result from cumulative fishery bycatch in
neritic and oceanic habitats (Conant et al. 2009a).
Regarding the impacts of pollution, loggerheads may be particularly affected by organochlorine
contaminants; they have the highest organochlorine concentrations (Storelli et al. 2008) and
metal loads (D'Ilio et al. 2011) in sampled tissues among the sea turtle species. It is thought that
dietary preferences were likely to be the main differentiating factor among sea turtle species.
Storelli et al. (2008) analyzed tissues from stranded loggerhead sea turtles and found that
mercury accumulates in sea turtle livers while cadmium accumulates in their kidneys, as has
been reported for other marine organisms like dolphins, seals, and porpoises (Law et al. 1991b).
While oil spill impacts are discussed generally for all species in Section 4.2.1d, specific impacts
of the DWH oil spill event on loggerhead sea turtles are considered here. Impacts to loggerhead
sea turtles occurred to offshore small juveniles as well as large juveniles and adults. A total of
30,800 small juvenile loggerheads (7.3% of the total small juvenile sea turtle exposures to oil
from the spill) were estimated to have been exposed to oil. Of those exposed, 10,700 small
juveniles are estimated to have died as a result of the exposure. In contrast to small juveniles,
loggerheads represented a large proportion of the adults and large juveniles exposed to and killed
by the oil. There were 30,000 exposures (almost 52% of all exposures for those age/size classes)
and 3,600 estimated mortalities. A total of 265 nests (27,618 eggs) were also translocated during
response efforts, with 14,216 hatchlings released, the fate of which is unknown (DWH Trustees
2015b). Additional unquantified effects may have included inhalation of volatile compounds,
disruption of foraging or migratory movements due to surface or subsurface oil, ingestion of prey
species contaminated with oil and/or dispersants, and loss of foraging resources which could lead
to compromised growth and/or reproductive potential. There is no information currently
available to determine the extent of those impacts, if they occurred.
Unlike Kemp's ridleys, the majority of nesting for the Northwest Atlantic Ocean loggerhead
DPS occurs on the Atlantic coast, and thus loggerheads were impacted to a relatively lesser
degree. However, it is likely that impacts to the NGMRU of the NWA loggerhead DPS would
be proportionally much greater than the impacts occurring to other recovery units. Impacts to
nesting and oiling effects on a large proportion of the NGMRU recovery unit, especially mating
and nesting adults likely had an impact on the NGMRU. Based on the response injury
evaluations for Florida Panhandle and Alabama nesting beaches (which fall under the NFMRU),
the Trustees estimated that approximately 20,000 loggerhead hatchlings were lost due to DWH
oil spill response activities on nesting beaches. Although the long-term effects remain unknown,
the DWH oil spill event impacts to the Northern Gulf of Mexico Recovery Unit may result in
some nesting declines in the future due to a large reduction of oceanic age classes during the
DWH oil spill event. Although adverse impacts occurred to loggerheads, the proportion of the
population that is expected to have been exposed to and directly impacted by the DWH oil spill
event is relatively low. Thus we do not believe a population -level impact occurred due to the
widespread distribution and nesting location outside of the Gulf of Mexico for this species.
Specific information regarding potential climate change impacts on loggerheads is also available.
Modeling suggests an increase of 2°C in air temperature would result in a sex ratio of over 80%
female offspring for loggerheads nesting near Southport, North Carolina. The same increase in
air temperatures at nesting beaches in Cape Canaveral, Florida, would result in close to 100%
female offspring. Such highly skewed sex ratios could undermine the reproductive capacity of
the species. More ominously, an air temperature increase of 3°C is likely to exceed the thermal
threshold of most nests, leading to egg mortality (Hawkes et al. 2007). Warmer sea surface
temperatures have also been correlated with an earlier onset of loggerhead nesting in the spring
(Hawkes et al. 2007; Weishampel et al. 2004), short inter -nesting intervals (Hays et al. 2002),
and shorter nesting seasons (Pike et al. 2006).
4.2.1d General Threats Faced by All Sea Turtle Species
Sea turtles face numerous natural and man-made threats that shape their status and affect their
ability to recover. Many of the threats are either the same or similar in nature for all listed sea
turtle species, those identified in this section are discussed in a general sense for all sea turtles.
Threat information specific to a particular species are then discussed in the corresponding status
sections where appropriate.
Fisheries
Incidental bycatch in commercial fisheries is identified as a major contributor to past declines,
and threat to future recovery, for all of the sea turtle species (NMFS and USFWS 1991a; NMFS
and USFWS 1992; NMFS and USFWS 1993; NMFS and USFWS 2008b; NMFS et al. 2011a).
Domestic fisheries often capture, injure, and kill sea turtles at various life stages. Sea turtles in
the pelagic environment are exposed to U.S. Atlantic pelagic longline fisheries. Sea turtles in the
benthic environment in waters off the coastal United States are exposed to a suite of other
fisheries in federal and state waters. These fishing methods include trawls, gillnets, purse seines,
hook -and -line gear (including bottom longlines and vertical lines [e.g., bandit gear, handlines,
and rod -reel]), pound nets, and trap fisheries. Refer to the Environmental Baseline section of this
opinion for more specific information regarding federal and state managed fisheries affecting sea
turtles within the action area). The Southeast U.S. shrimp fisheries have historically been the
largest fishery threat to benthic sea turtles in the southeastern United States, and continue to
interact with and kill large numbers of sea turtles each year.
45
In addition to domestic fisheries, sea turtles are subject to direct as well as incidental capture in
numerous foreign fisheries, further impeding the ability of sea turtles to survive and recover on a
global scale. For example, pelagic stage sea turtles, especially loggerheads and leatherbacks,
circumnavigating the Atlantic are susceptible to international longline fisheries including the
Azorean, Spanish, and various other fleets (Aguilar et al. 1994; Bolten et al. 1994). Bottom
longlines and gillnet fishing is known to occur in many foreign waters, including (but not limited
to) the northwest Atlantic, western Mediterranean, South America, West Africa, Central
America, and the Caribbean. Shrimp trawl fisheries are also occurring off the shores of
numerous foreign countries and pose a significant threat to sea turtles similar to the impacts seen
in U.S. waters. Many unreported takes or incomplete records by foreign fleets make it difficult
to characterize the total impact that international fishing pressure is having on listed sea turtles.
Nevertheless, international fisheries represent a continuing threat to sea turtle survival and
recovery throughout their respective ranges.
Non -Fishery In -Water Activities
There are also many non -fishery impacts affecting the status of sea turtle species, both in the
ocean and on land. In nearshore waters of the United States, the construction and maintenance of
federal navigation channels has been identified as a source of sea turtle mortality. Hopper
dredges, which are frequently used in ocean bar channels and sometimes in harbor channels and
offshore borrow areas, move relatively rapidly and can entrain and kill sea turtles (NMFS
1997b). Sea turtles entering coastal or inshore areas have also been affected by entrainment in
the cooling -water systems of electrical generating plants. Other nearshore threats include
harassment and/or injury resulting from private and commercial vessel operations, military
detonations and training exercises, in -water construction activities, and scientific research
activities.
Coastal Development and Erosion Control
Coastal development can deter or interfere with nesting, affect nesting success, and degrade
nesting habitats for sea turtles. Structural impacts to nesting habitat include the construction of
buildings and pilings, beach armoring and renourishment, and sand extraction (Bouchard et al.
1998; Lutcavage et al. 1997). These factors may decrease the amount of nesting area available to
females and change the natural behaviors of both adults and hatchlings, directly or indirectly,
through loss of beach habitat or changing thermal profiles and increasing erosion, respectively
(Ackerman 1997; Witherington et al. 2003; Witherington et al. 2007). In addition, coastal
development is usually accompanied by artificial lighting which can alter the behavior of nesting
adults (Witherington 1992) and is often fatal to emerging hatchlings that are drawn away from
the water (Witherington and Bjorndal 1991). In -water erosion control structures such as
breakwaters, groins, and jetties can impact nesting females and hatchling as they approach and
leave the surf zone or head out to sea by creating physical blockage, concentrating predators,
creating longshore currents, and disrupting of wave patterns.
Environmental Contamination
Multiple municipal, industrial, and household sources, as well as atmospheric transport,
introduce various pollutants such as pesticides, hydrocarbons, organochlorides (e.g.,
dichlorodiphenyltrichloroethane [DDT], polychlorinated biphenyls [PCB], and perfluorinated
chemicals), and others that may cause adverse health effects to sea turtles (Garrett 2004; Grant
and Ross 2002; Hartwell 2004; Iwata et al. 1993). Acute exposure to hydrocarbons from
petroleum products released into the environment via oil spills and other discharges may directly
injure individuals through skin contact with oils (Geraci 1990), inhalation at the water's surface
and ingesting compounds while feeding (Matkin and Saulitis 1997). Hydrocarbons also have the
potential to impact prey populations, and therefore may affect listed species indirectly by
reducing food availability in the action area.
The April 20, 2010, explosion of the Deepwater Horizon oil rig affected sea turtles in the Gulf of
Mexico. An assessment has been completed on the injury to Gulf of Mexico marine life,
including sea turtles, resulting from the spill (DWH Trustees 2015a). Following the spill,
juvenile Kemp's ridley, green, and loggerhead sea turtles were found in Sargassum algae mats in
the convergence zones, where currents meet and oil collected. Sea turtles found in these areas
were often coated in oil and/or had ingested oil. The spill resulted in the direct mortality of
many sea turtles and may have had sublethal effects or caused environmental damage that will
impact other sea turtles into the future. Information on the spill impacts to individual sea turtle
species is presented in the Status of the Species sections for each species.
Marine debris is a continuing problem for sea turtles. Sea turtles living in the pelagic
environment commonly eat or become entangled in marine debris (e.g., tar balls, plastic
bags/pellets, balloons, and ghost fishing gear) as they feed along oceanographic fronts where
debris and their natural food items converge. This is especially problematic for sea turtles that
spend all or significant portions of their life cycle in the pelagic environment (i.e., leatherbacks,
juvenile loggerheads, and juvenile green turtles).
Climate Change
There is a large and growing body of literature on past, present, and future impacts of global
climate change, exacerbated and accelerated by human activities. Some of the likely effects
commonly mentioned are sea level rise, increased frequency of severe weather events, and
change in air and water temperatures. NOAA's climate information portal provides basic
background information on these and other measured or anticipated effects (see
http://www.climate.gov).
Climate change impacts on sea turtles currently cannot be predicted with any degree of certainty;
however, significant impacts to the hatchling sex ratios of sea turtles may result (NMFS and
USFWS 2007b). In sea turtles, sex is determined by the ambient sand temperature (during the
middle third of incubation) with female offspring produced at higher temperatures and males at
lower temperatures within a thermal tolerance range of 25°-35°C (Ackerman 1997). Increases in
global temperature could potentially skew future sex ratios toward higher numbers of females
(NMFS and USFWS 2007b).
47
The effects from increased temperatures may be intensified on developed nesting beaches where
shoreline armoring and construction have denuded vegetation. Erosion control structures could
potentially result in the permanent loss of nesting beach habitat or deter nesting females (NRC
1990a). These impacts will be exacerbated by sea level rise. If females nest on the seaward side
of the erosion control structures, nests may be exposed to repeated tidal overwash (NMFS and
USFWS 2007c). Sea level rise from global climate change is also a potential problem for areas
with low-lying beaches where sand depth is a limiting factor, as the sea may inundate nesting
sites and decrease available nesting habitat (Baker et al. 2006; Daniels et al. 1993; Fish et al.
2005). The loss of habitat as a result of climate change could be accelerated due to a
combination of other environmental and oceanographic changes such as an increase in the
frequency of storms and/or changes in prevailing currents, both of which could lead to increased
beach loss via erosion (Antonelis et al. 2006; Baker et al. 2006).
Other changes in the marine ecosystem caused by global climate change (e.g., ocean
acidification, salinity, oceanic currents, dissolved oxygen levels, nutrient distribution, etc.) could
influence the distribution and abundance of lower trophic levels (e.g., phytoplankton,
zooplankton, submerged aquatic vegetation, crustaceans, mollusks, forage fish, etc.) which could
ultimately affect the primary foraging areas of sea turtles.
Other Threats
Predation by various land predators is a threat to developing nests and emerging hatchlings. The
major natural predators of sea turtle nests are mammals, including raccoons, dogs, pigs, skunks,
and badgers. Emergent hatchlings are preyed upon by these mammals as well as ghost crabs,
laughing gulls, and the exotic South American fire ant (Solenopsis invicta). In addition to
natural predation, direct harvest of eggs and adults from beaches in foreign countries continues
to be a problem for various sea turtle species throughout their ranges (NMFS and USFWS
2008b).
Diseases, toxic blooms from algae and other microorganisms, and cold stunning events are
additional sources of mortality that can range from local and limited to wide -scale and impacting
hundreds or thousands of animals.
4.2.2 Atlantic Sturgeon (All 5 DPSs)
Five separate DPSs of Atlantic sturgeon were listed under the ESA by NMFS effective April 6,
2012 (77 FR 5880 and 5914, February 6, 2012). The New York Bight, Chesapeake Bay,
Carolina, and South Atlantic DPSs were listed as endangered. The Gulf of Maine DPS was
listed as threatened.
Species Descriptions and Distributions
Atlantic sturgeon are long-lived, late -maturing, estuarine -dependent, anadromous fish distributed
along the eastern coast of North America (Waldman and Wirgin 1998). Historically, sightings
have been reported from Hamilton Inlet, Labrador, south to the St. Johns River, Florida
(Murawski et al. 1977; Smith and Clugston 1997). Atlantic sturgeon may live up to 60 years,
M.
reach lengths up to 14 ft, and weigh over 800 lb (ASSRT 2007; Collette and Klein-MacPhee
2002). They are distinguished by armor -like plates (called scutes) and a long protruding snout
that has 4 barbels (slender, whisker -like feelers extending from the head used for touch and
taste). Atlantic sturgeon spend the majority of their lives in nearshore marine waters, returning
to their natal rivers to spawn (Wirgin et al. 2002). Young sturgeon may spend the first few years
of life in their natal river estuary before moving out to sea (Wirgin et al. 2002). Sturgeon are
omnivorous benthic (bottom) feeders and filter quantities of mud along with their food. Adult
sturgeon diets include mollusks, gastropods, amphipods, isopods, and small fishes, especially
sand lances (Ammodytes sp.) (Scott and Crossman 1973). Juvenile sturgeon feed on aquatic
insects and other invertebrates (Smith 1985).
Historically, Atlantic sturgeon were present in approximately 38 rivers in the United States from
the St. Croix River, Maine to the St. Johns River, Florida, of which 35 rivers have been
confirmed to have had a historical spawning population. Atlantic sturgeon are currently present
in approximately 32 of these rivers, and spawning occurs in at least 20 of them. The marine
range of Atlantic sturgeon extends from the Hamilton Inlet, Labrador, Canada, to Cape
Canaveral, Florida. Because adult Atlantic sturgeon from all DPSs mix extensively in marine
waters, we expect fish from all DPSs to be found in the action area.
Life History Information
Atlantic sturgeon populations show clinal variation, with a general trend of faster growth and
earlier age at maturity in more southern systems. Atlantic sturgeon mature between the ages of
5-19 years in South Carolina (Smith et al. 1982), between 11-21 years in the Hudson River
(Young et al. 1988), and between 22-34 years in the St. Lawrence River (Scott and Crossman
1973). Most Atlantic sturgeon adults likely do not spawn every year. Multiple studies have
shown that spawning intervals range from 1-5 years for males (Caron et al. 2002; Collins et al.
2000b; Smith 1985) and 2-5 years for females (Stevenson and Secor 1999; Van Eenennaam et al.
1996; Vladykov and Greely 1963). Fecundity of Atlantic sturgeon has been correlated with age
and body size, with egg production ranging from 400,000 to 8,000,000 eggs per year (Dadswell
2006; Smith et al. 1982; Van Eenennaam and Doroshov 1998). The average age at which 50%
of maximum lifetime egg production is achieved is estimated to be 29 years, approximately 3-10
times longer than for other bony fish species examined (Boreman 1997).
Spawning adult Atlantic sturgeon generally migrate upriver in spring/early summer, which
occurs in February -March in southern systems, April -May in mid-Atlantic systems, and May -
July in Canadian systems (Bain 1997; Caron et al. 2002; Murawski et al. 1977; Smith 1985;
Smith and Clugston 1997). In some southern rivers, a fall spawning migration may also occur
(Moser et al. 1998; Rogers and Weber 1995; Weber and Jennings 1996). In the fall, Hager et al.
(2014) captured an Atlantic sturgeon identified as a spawned -out female due to her size and
concave stomach and also noted capture of other fish showing signs of wear suggesting males
had been engaging in spawning behavior. In Virginia's James River, Balazik et al. (2012)
captured 1 fish identified as a female in the fall during the 3 -year study with a concave condition
of the abdomen consistent with female sturgeon that have spawned recently. In addition,
postovulated eggs recovered from the urogenital opening were in an early degradation stage,
suggesting the fish had spawned within days (Balazik et al. 2012). Further physiological support
. •
for fall spawning is provided by the 9 spermiating males captured along with the female and a
grand total of 106 different spermiating males captured during August—October (Balazik et al.
2012). Randall and Sulak (2012) reported similar evidence for fall spawning of the closely
related Gulf sturgeon, which included multiple captures of sturgeon in September—November
that were ripe or exhibited just -spawned characteristics.
Atlantic sturgeon spawning occurs in fast -flowing water between the salt front and fall line of
large rivers (Bain et al. 2000; Borodin 1925; Crance 1987; Leland 1968; Scott and Crossman
1973) over hard substrate, such as cobble, gravel, or boulders, to which the highly adhesive
sturgeon eggs adhere (Gilbert 1989; Smith and Clugston 1997). Hatching occurs approximately
94-140 hours after egg deposition and larvae assume a demersal existence (Smith et al. 1980).
The yolk sac larval stage is completed in about 8-12 days, during which time the larvae move
downstream to rearing grounds (Kynard and Horgan 2002). During the first half of their
migration downstream, movement is limited to night. During the day, larvae use benthic
structure (e.g., gravel matrix) as refugia (Kynard and Horgan 2002). During the latter half of
migration, when larvae are more fully developed, movement to rearing grounds occurs both day
and night. Juvenile sturgeon continue to move further downstream into brackish waters, and
eventually become residents in estuarine waters for months or years.
Juvenile and adult Atlantic sturgeon occupy upper estuarine habitat where they frequently
congregate around the saltwater/freshwater interface. Estuarine habitats are important for
juveniles, serving as nursery areas by providing abundant foraging opportunities, as well as
thermal and salinity refuges, for facilitating rapid growth. Some juveniles will take up residency
in non -natal rivers that lack active spawning sites (Bain 1997). Residency time of young
Atlantic sturgeon in estuarine areas varies between 1-6 years (Schueller and Peterson 2010;
Smith 1985), after which Atlantic sturgeon start out -migration to the marine environment. Out-
migration of adults from the estuaries to the sea is cued by water temperature and velocity.
Adult Atlantic sturgeon will reside in the marine habitat during the non -spawning season and
forage extensively. Coastal migrations by adult Atlantic sturgeon are extensive and are known to
occur over sand and gravel substrate (Greene et al. 2009). Atlantic sturgeon remain in the
marine habitat until the waters begin to warm, at which time ripening adults migrate back to their
natal rivers to spawn.
Upstream migration to the spawning grounds is cued primarily by water temperature and
velocity. Therefore, fish in the southern portion of the range migrate earlier than those to the
north do (Kieffer and Kynard 1993; Smith 1985). In Georgia and South Carolina, migration
begins in February or March (Collins et al. 2000a). Males commence upstream migration to the
spawning sites when waters reach around 6°C (Dovel and Berggren 1983; Smith 1985; Smith et
al. 1982), with females following a few weeks later when water temperatures are closer to 12° or
13°C (Collins et al. 2000a; Dovel and Berggren 1983; Smith 1985). In some rivers,
predominantly in the south, a fall spawning migration may also occur (Moser et al. 1998; Rogers
and Weber 1995), with running ripe males found August through October and post -spawning
females captured in late September and October (Collins et al. 2000b).
50
Status and Population Dynamics
At the time Atlantic sturgeon were listed, the best available abundance information for each of
the 5 DPSs was the estimated number of adult Atlantic sturgeon spawning in each of the rivers
on an annual basis. The estimated number of annually spawning adults in each of the river
populations is insufficient to quantify the total population numbers for each DPS of Atlantic
sturgeon due to the lack of other necessary accompanying life history data. An attempt to
estimate total ocean population numbers of adults and subadults was completed in 2012 using
data from the Northeast Area Monitoring and Assessment Program (NEAMAP). NEAMAP
trawl surveys were conducted from Cape Cod, Massachusetts, to Cape Hatteras, North Carolina,
in nearshore waters to depths of 60 ft from fall 2007 through spring 2012. The results of these
surveys, assuming 50% gear efficiency (i.e., assumption that the gear will capture some, but not
all, of the sturgeon in the water column along the tow path, and the survey area is only a portion
of Atlantic sturgeon habitat), are presented in Table 9. It is important to note that the NEAMAP
surveys were conducted primarily in the Northeast and may underestimate the actual population
abundances of the Carolina and South Atlantic DPSs, which are likely more concentrated in the
Southeast since they originated from and spawn there. However, the total ocean population
abundance estimates listed in Table 9 currently represent the best available population abundance
estimates for the 5 U.S. Atlantic sturgeon DPSs.
Table 9. Summary of Calculated Population Estimates based upon the NEAMAP Survey
Swept Area, Assuming 50% Efficiency MFS 2013
South Atlantic DPS
The South Atlantic DPS includes all Atlantic sturgeon that spawn or are spawned in the
watersheds (including all rivers and tributaries) of the Ashepoo, Combahee, and Edisto River
Basins southward along the South Carolina, Georgia, and Florida coastal areas to the St. Johns
River, Florida. Rivers known to have current spawning populations within the range of the
South Atlantic DPS include the Combahee, Edisto, Savannah, Ogeechee, Altamaha, and Satilla
Rivers. We determined spawning was occurring if young -of -the -year (YOY) were observed, or
mature adults were present, in freshwater portions of a system. However, in some rivers,
spawning by Atlantic sturgeon may not be contributing to population growth because of lack of
suitable habitat and the presence of other stressors on juvenile survival and development.
Historically, both the Broad-Coosawatchie and St. Marys Rivers were documented to have
spawning populations; there is also evidence that spawning may have occurred in the St. Johns
51
Estimated
Estimated Ocean
Estimated Ocean Population
DPS
Ocean
Population of
of Sub -adults (of size
Population
Adults
vulnerable to capture in
Abundance
fisheries
South Atlantic
14,911
3,728
11,183
Carolina
1,356
339
1,017
Chesapeake Bay
8,811
2,203
6,608
New York Bight
34,566
8,642
25,925
Gulf of Maine
7,455
1,864
5,591
South Atlantic DPS
The South Atlantic DPS includes all Atlantic sturgeon that spawn or are spawned in the
watersheds (including all rivers and tributaries) of the Ashepoo, Combahee, and Edisto River
Basins southward along the South Carolina, Georgia, and Florida coastal areas to the St. Johns
River, Florida. Rivers known to have current spawning populations within the range of the
South Atlantic DPS include the Combahee, Edisto, Savannah, Ogeechee, Altamaha, and Satilla
Rivers. We determined spawning was occurring if young -of -the -year (YOY) were observed, or
mature adults were present, in freshwater portions of a system. However, in some rivers,
spawning by Atlantic sturgeon may not be contributing to population growth because of lack of
suitable habitat and the presence of other stressors on juvenile survival and development.
Historically, both the Broad-Coosawatchie and St. Marys Rivers were documented to have
spawning populations; there is also evidence that spawning may have occurred in the St. Johns
51
River or one of its tributaries. The spawning population in the St. Marys River, as well as any
historical spawning population in the St. Johns, are believed to be extirpated, and the status of
the spawning population in the Broad-Coosawatchie is unknown. Both the St. Marys and St.
Johns rivers are used as nursery habitat by young Atlantic sturgeon originating from other
spawning populations. The use of the Broad-Coosawatchie by sturgeon from other spawning
populations is unknown at this time. The presence of historical and current spawning
populations in the Ashepoo River has not been documented; however, this river may currently be
used for nursery habitat by young Atlantic sturgeon originating from other spawning
populations. This represents our current knowledge of the river systems utilized by the South
Atlantic DPS for specific life functions, such as spawning, nursery habitat, and foraging. Still,
fish from the South Atlantic DPS likely use other river systems than those listed here for their
specific life functions.
Prior to the collapse of the fishery in the late 1800s, the sturgeon fishery was the third largest
fishery in Georgia. Secor (2002) estimated from U.S. Fish Commission landing reports that
approximately 11,000 spawning females were likely present in Georgia and 8,000 adult females
were present in South Carolina prior to 1890. The Altamaha River population of the South
Atlantic DPS, with an estimated 343 adults spawning annually, is believed to be the largest
remaining population in the Southeast, yet is estimated to be only 6% of its historical population
size. The abundances of the remaining river populations within the South Atlantic DPS, each
estimated to have fewer than 300 annually spawning adults, are estimated to be less than 1% of
what they were historically (ASSRT 2007). The NEAMAP model estimates a minimum ocean
population of 14,911 South Atlantic DPS Atlantic sturgeon, of which 3,728 are adults.
Carolina DPS
The Carolina DPS includes all Atlantic sturgeon that are spawned in the watersheds (including
all rivers and tributaries) from the Albemarle Sound southward along the southern Virginia,
North Carolina, and South Carolina coastal areas to Charleston Harbor. Rivers known to have
current spawning populations within the range of the Carolina DPS include the Roanoke, Tar -
Pamlico, Cape Fear, Waccamaw, and Yadkin -Pee Dee Rivers. We determined spawning was
occurring if YOY were observed, or mature adults were present, in freshwater portions of a
system. In some rivers, though, spawning by Atlantic sturgeon may not be contributing to
population growth because of lack of suitable habitat and the presence of other stressors on
juvenile survival and development. There may also be spawning populations in the Neuse,
Santee, and Cooper Rivers, though it is uncertain.
Historically, both the Sampit and Ashley Rivers in South Carolina were documented to have
spawning populations at one time, although the spawning population in the Sampit River is
believed to be extirpated and the current status of the spawning population in the Ashley River is
unknown. Both rivers may be used as nursery habitat by young Atlantic sturgeon originating
from other spawning populations. This represents our current knowledge of the river systems
utilized by the Carolina DPS for specific life functions, such as spawning, nursery habitat, and
foraging. Still, fish from the Carolina DPS likely use other river systems than those listed here
for their specific life functions.
52
Historical landings data indicate that between 7,000 and 10,500 adult female Atlantic sturgeon
were present in North Carolina prior to 1890 (Armstrong and Hightower 2002; Secor 2002).
Secor (2002) estimates that 8,000 adult females were present in South Carolina during that same
time frame. The Atlantic sturgeon spawning population in at least 1 river system (the Sampit
River) within the Carolina DPS has been extirpated, and the statuses of 4 additional spawning
populations are uncertain. There are believed to be only 5 of 7-10 historical spawning
populations remaining in the Carolina DPS. In some rivers, spawning by Atlantic sturgeon may
not be contributing to population growth because of lack of suitable habitat and the presence of
other stressors on juvenile survival and development. The abundances of the remaining river
populations within the DPS, each estimated to have fewer than 300 spawning adults, are
estimated to be less than 3% of what they were historically (ASSRT 2007). The NEAMAP
model estimates a minimum ocean population of 1,356 Carolina DPS Atlantic sturgeon, of which
339 are adults.
Chesapeake Bad
The Chesapeake Bay DPS includes all anadromous Atlantic sturgeons that are spawned in the
watersheds that drain into the Chesapeake Bay and into coastal waters from the Delaware -
Maryland border on Fenwick Island to Cape Henry, Virginia. Within this range, Atlantic
sturgeon historically spawned in the Susquehanna, Potomac, James, York, Rappahannock, and
Nottoway Rivers (ASSRT 2007). Spawning still occurs in the James River, and the presence of
juvenile and adult sturgeon in the York River suggests that spawning may occur there as well
(ASSRT 2007; Greene et al. 2009; Musick et al. 1994). However, conclusive evidence of
current spawning is available for the James River, only. Atlantic sturgeon that are spawned
elsewhere are known to use waters of the Chesapeake Bay for other life functions, such as
foraging and as juvenile nursery habitat, before entering the marine system as subadults (ASSRT
2007; Grunwald et al. 2008; Vladykov and Greely 1963; Wirgin et al. 2007).
Historically, the Chesapeake Bay DPS likely supported more than 10,000 spawning adults
(ASSRT 2007; KRRMP 1993; Secor 2002). Current estimates of the Chesapeake Bay DPS from
the NEAMAP model (Table 6) indicate the current number of spawning adults is likely an order
of magnitude lower than historical levels (ASSRT 2007; Kahnle et al. 2007). The NEAMAP
model estimates a minimum ocean population of 8,811 Chesapeake Bay DPS Atlantic sturgeon,
of which 2,319 are adults.
New York Bight DPS
The New York Bight DPS includes all anadromous Atlantic sturgeon that spawn in the
watersheds that drain into coastal waters from Chatham, Massachusetts, to the Delaware -
Maryland border on Fenwick Island. The marine range of Atlantic sturgeon from the New York
Bight DPS extends from the Hamilton Inlet, Labrador, Canada, to Cape Canaveral, Florida.
Within this range, Atlantic sturgeon historically spawned in the Connecticut, Delaware, Hudson,
and Taunton Rivers (ASSRT 2007; Murawski et al. 1977; Secor 2002). Spawning still occurs in
the Delaware and Hudson Rivers, and evidence of spawning was recently documented in the
Connecticut River (ASSRT 2007; Savoy et al. 2017). Atlantic sturgeon that are spawned
53
elsewhere continue to use habitats within the Connecticut and Taunton Rivers for other life
functions (ASSRT 2007; Savoy 2007; Wirgin and King 2011)
Prior to the onset of expanded fisheries exploitation of sturgeon in the 1800s, a conservative
historical estimate for the Hudson River Atlantic sturgeon population was 10,000 adult females
(Secor 2002). Current population abundance is likely at least one order of magnitude smaller
than historical levels (ASSRT 2007; Kahnle et al. 2007; Secor 2002). Based on data collected
from 1985-1995, an estimate of the mean annual number of mature adults (863 total; 596 males
and 267 females) was calculated for the Hudson River riverine population (Kahnle et al. 2007).
Kahnle (2007; 1998) also showed that the level of fishing mortality from the Hudson River
Atlantic sturgeon fishery during the period of 1985-1995 exceeded the estimated sustainable
level of fishing mortality for the riverine population, and may have led to reduced recruitment.
At the time of listing, available data on abundance of juvenile Atlantic sturgeon in the Hudson
River Estuary indicated a substantial drop in production of young since the mid-1970s (Kahnle et
al. 1998). A decline appeared to occur in the mid- to late -1970s followed by a secondary drop in
the late 1980s (ASMFC 2010; Kahnle et al. 1998; Sweka et al. 2007). Catch -per -unit -effort
(CPUE) data suggest that recruitment has remained depressed relative to catches of juvenile
Atlantic sturgeon in the estuary during the mid- to late 1980s (ASMFC 2010; Sweka et al. 2007).
From 1985-2007, there were significant fluctuations in CPUE. The number of juveniles appears
to have declined between the late 1980s and early 1990s. While the CPUE is generally higher in
the 2000s as compared to the 1990s, significant annual fluctuations make it difficult to discern
any trend. The CPUEs from 2000-2007 are generally higher than those from 1990-1999;
however, they remain lower than the CPUEs observed in the late 1980s. Standardized mean
catch per net set from the NYSDEC juvenile Atlantic sturgeon survey have had a general
increasing trend from 2006 — 2015, with the exception of a dip in 2013. There is currently not
enough information regarding any life stage to establish a trend for the Hudson River population
(ASMFC 2010; Sweka et al. 2007).
There is no abundance estimate for the Delaware River population of Atlantic sturgeon. Harvest
records from the 1800s indicate that this was historically a large population, with an estimated
180,000 adult females prior to 1890 (Secor 2002; Secor and Waldman 1999). Fisher (2009)
sampled the Delaware River in 2009 to target YOY Atlantic sturgeon. The effort captured 34
YOY. Brundage and O'Herron (2003) also collected 32 YOY Atlantic sturgeon from the
Delaware River in a separate study. Fisher (2011) reports that genetics information collected
from 33 of the 2009 year class YOY indicates that at least 3 females successfully contributed to
the 2009 year class. The capture of YOY in some years since 2009 shows that successful
spawning is still occurring in the Delaware River. Based on the capture of juvenile Atlantic
sturgeon in the Delaware River, researchers estimated estimate there were 3,656 (95% Cl =
1,935-33,041) age 0-1 juvenile Atlantic sturgeon in the Delaware River subpopulation in 2014
(Hale et al. 2016). However, the relatively low numbers of captured adults suggest the existing
riverine subpopulation is limited in size. For example, of the 261 adult -sized Atlantic sturgeon
captured for scientific purposes off the Delaware Coast between 2009 and 2012, 100 were
subsequently identified by genetics analysis to belong to the Hudson River subpopulation while
only 36 belonged to the Delaware River subpopulation (Wirgin et al. 2015). Similar to the
Hudson River, there is currently not enough information to determine a trend for the Delaware
54
River population. The ASSRT (2007) suggested that there may be less than 300 spawning adults
per year for the Delaware River portion of the New York Bight DPS.
The 2017 Assessment determined the New York Bight DPS abundance is "depleted" relative to
historical levels. It also determined there is a relatively high probability (75%) that the New
York Bight DPS abundance has increased since the implementation of the 1998 fishing
moratorium, and a 31% probability the New York Bight DPS is still subjected to mortality levels
higher than determined acceptable in the 2017 assessment (ASMFC 2017).
The 2017 Assessment reported Ne for the Hudson and Delaware rivers in the New York Bight
DPS. In the Hudson River, samples from 337 individuals collected from 1996-2015 produced an
estimated Ne of 144.2 individuals (ASMFC 2017). In the Delaware River, 181 samples were
collected from 2009-2015 and produced an estimated Ne of 56.7 individuals (ASMFC 2017).
While not inclusive of all the spawning rivers in the New York Bight DPS, the estimates for the
Hudson River suggests that spawning subpopulation may be large enough to avoid inbreeding
depression (Ne < 100); however, the Delaware River spawning subpopulation may still be at risk.
Both spawning subpopulations are likely at risk losing evolutionary potential (Ne < 1000). The
NEAMAP model estimates a minimum ocean population for the entire DPS of 34,566 Atlantic
sturgeon, of which 8,642 are adults.
Gulf of Maine DPS
The Gulf of Maine DPS includes all anadromous Atlantic sturgeons that are spawned in the
watersheds from the Maine/Canadian border and, extending southward, all watersheds draining
into the Gulf of Maine as far south as Chatham, Massachusetts. Within this range, Atlantic
sturgeon historically spawned in the Androscoggin, Kennebec, Merrimack, Penobscot, and
Sheepscot Rivers (ASSRT 2007). Spawning still occurs in the Kennebec and Androscoggin
Rivers, and may still occur in the Penobscot River. Atlantic sturgeon continue to be present in
the Kennebec River; in addition, they are captured in directed research projects in the Penobscot
River. They are also observed in the Saco, Presumpscot, and Charles rivers where they were
unknown to occur before or had not been observed to occur for many years. These observations
suggest that the abundance of the Gulf of Maine DPS of Atlantic sturgeon is large enough that
recolonization to rivers historically suitable for spawning may be occurring.
Historically, the Gulf of Maine DPS likely supported more than 10,000 spawning adults (ASSRT
2007; KRRMP 1993; Secor 2002), suggesting the recent estimate of spawning adults within the
DPS is 1-2 orders of magnitude smaller than historical levels (i.e., hundreds to low thousands)
(ASSRT 2007; Kahnle et al. 2007). The CPUE of subadult Atlantic sturgeon in a multifilament
gillnet survey conducted on the Kennebec River was considerably greater for the period of 1998-
2000 (CPUE = 7.43) compared to the CPUE for the period 1977-1981 (CPUE = 0.30). The
CPUE of adult Atlantic sturgeon showed a slight increase over the same time period (1977-1981
CPUE = 0.12 versus 1998-2000 CPUE = 0.21) (Squiers 2004). There is also new evidence of
Atlantic sturgeon presence in rivers (e.g., the Saco River) where they have not been observed for
many years. Still, there is not enough information to establish a trend for this DPS. The
NEAMAP model estimates a minimum ocean population of 7,455 Atlantic sturgeon, of which
1,864 are adults.
55
Viability of Atlantic Sturgeon DPSs
The concept of a viable population able to adapt to changing environmental conditions is critical
to Atlantic sturgeon, and the low population numbers of every river population in the 5 DPSs on
the East Coast put them in danger of extinction throughout their range. None of the riverine
spawning populations are large or stable enough to provide with any level of certainty for
continued existence of any of the DPSs. Although the largest impact that caused the precipitous
decline of the species has been prohibited (directed fishing), the Atlantic sturgeon population
sizes within each DPS have remained relatively constant at greatly reduced levels for 100 years.
The largest Atlantic sturgeon population in the United States, the Hudson River population
within the New York Bight DPS, is estimated to have only 870 spawning adults each year. The
Altamaha River population within the South Atlantic DPS is the largest Atlantic sturgeon
population in the Southeast and only has an estimated 343 adults spawning annually. All other
Atlantic sturgeon river populations in the U.S. are estimated to have less than 300 spawning
adults annually.
Small numbers of individuals resulting from drastic reductions in populations, such as occurred
with Atlantic sturgeon due to the commercial fishery, can remove the buffer against natural
demographic and environmental variability provided by large populations (Berry 1971; Shaffer
1981; Soule 1980). Recovery of depleted populations is an inherently slow process for a late -
maturing species such as Atlantic sturgeon, and they continue to face a variety of other threats
that contribute to their risk of extinction. Their late age at maturity provides more opportunities
for individual Atlantic sturgeon to be removed from the population before reproducing. While a
long life span allows multiple opportunities to contribute to future generations, it also increases
the time frame over which exposure to the multitude of threats facing Atlantic sturgeon can
occur.
The viability of the Atlantic sturgeon DPSs depends on having multiple self-sustaining riverine
spawning populations and maintaining suitable habitat to support the various life functions
(spawning, feeding, growth) of Atlantic sturgeon populations. Because a DPS is a group of
populations, the stability, viability, and persistence of individual populations affects the
persistence and viability of the larger DPS. The loss of any population within a DPS will result
in: (1) a long-term gap in the range of the DPS that is unlikely to be recolonized; (2) loss of
reproducing individuals; (3) loss of genetic biodiversity; (4) potential loss of unique haplotypes;
(5) potential loss of adaptive traits; (6) reduction in total number; and (7) potential for loss of
population source of recruits. The loss of a population will negatively impact the persistence and
viability of the DPS as a whole, as fewer than 2 individuals per generation spawn outside their
natal rivers (King et al. 2001; Waldman et al. 2002; Wirgin et al. 2000). The persistence of
individual populations, and in turn the DPS, depends on successful spawning and rearing within
the freshwater habitat, the immigration into marine habitats to grow, and then the return of adults
to natal rivers to spawn.
Threats
Atlantic sturgeon were once numerous along the East Coast until fisheries for their meat and
caviar reduced the populations by over 90% in the late 1800s. Fishing for Atlantic sturgeon
56
became illegal in state waters in 1998 and in remaining U.S. waters in 1999. Dams, dredging,
poor water quality, and accidental catch (bycatch) by fishers continue to threaten Atlantic
sturgeon. Though Atlantic sturgeon populations appear to be increasing in some rivers, other
river populations along the East Coast continue to struggle and some have been eliminated
entirely. The 5 DPSs of Atlantic sturgeon were listed as threatened or endangered under the
ESA primarily as a result of a combination of habitat restriction and modification, overutilization
(i.e., being taken as bycatch) in commercial fisheries, and the inadequacy of regulatory
mechanisms in ameliorating these impacts and threats.
Dams
Dams for hydropower generation, flood control, and navigation adversely affect Atlantic
sturgeon by impeding access to spawning, developmental, and foraging habitat, modifying free-
flowing rivers to reservoirs, physically damaging fish on upstream and downstream migrations,
and altering water quality in the remaining downstream portions of spawning and nursery habitat
(ASSRT 2007). Attempts to minimize the impacts of dams using measures such as fish passage
have not proven beneficial to Atlantic sturgeon, as they do not regularly use existing fish passage
devices, which are generally designed to pass pelagic fish (i.e., those living in the water column)
rather than bottom -dwelling species, like sturgeon. Within the range occupied by the Carolina
DPS, dams have restricted Atlantic sturgeon spawning and juvenile developmental habitat by
blocking over 60% of the historical sturgeon habitat upstream of the dams in the Cape Fear and
Santee -Cooper River systems. Water quality (velocity, temperature, and dissolved oxygen [DO]
downstream of these dams, as well as on the Roanoke River, has been reduced, which modifies
and restricts the extent of spawning and nursery habitat for the Carolina DPS.
Within the range of the New York Bight DPS, the Holyoke Dam on the Connecticut River
blocks further upstream passage; however, the extent that Atlantic sturgeon historically would
have used habitat upstream of Holyoke is unknown. Connectivity may be disrupted by the
presence of dams on several smaller rivers in the New York Bight region. Connectivity is
disrupted by the presence of dams on several rivers in the range of the Gulf of Maine DPS.
Within the Gulf of Maine DPS, access to historical spawning habitat is most severely impacted
in the Merrimack River (ASSRT 2007). Construction of the Essex Dam blocked the migration
of Atlantic sturgeon to 58% of its historically available habitat (ASSRT 2007). The extent that
Atlantic sturgeon are affected by operations of dams in the Gulf of Maine region is currently
unknown, although Atlantic sturgeon larvae have been found downstream of the Brunswick Dam
in the Androscoggin River. This suggests that Atlantic sturgeon spawning may be occurring in
the vicinity of at least 1 hydroelectric project and may be affected by its operations.
Dredging
Riverine, nearshore, and offshore areas are often dredged to support commercial shipping and
recreational boating, construction of infrastructure, and marine mining. Environmental impacts
of dredging include the direct removal/burial of prey species; turbidity/siltation effects;
contaminant resuspension; noise/disturbance; alterations to hydrodynamic regime and physical
habitat; and actual loss of riparian habitat (Chytalo 1996; Winger et al. 2000). According to
57
Smith and Clugston (1997), dredging and filling impact important habitat features of Atlantic
sturgeon as they disturb benthic fauna, eliminate deep holes, and alter rock substrates.
In the South Atlantic DPS, maintenance dredging is currently modifying Atlantic sturgeon
nursery habitat in the Savannah River. Modeling indicates that the proposed deepening of the
navigation channel will result in reduced DO and upriver movement of the salt wedge, restricting
spawning habitat. Dredging is also modifying nursery and foraging habitat in the St. Johns
River. For the Carolina DPS, dredging in spawning and nursery grounds modifies the quality of
the habitat and is further restricting the extent of available habitat in the Cape Fear and Cooper
Rivers, where Atlantic sturgeon habitat has already been modified and restricted by the presence
of dams. Dredging for navigational purposes is suspected of having reduced available spawning
habitat for the Chesapeake Bay DPS in the James River (ASSRT 2007; Bushnoe et al. 2005;
Holton and Walsh 1995). Both the Hudson and Delaware rivers have navigation channels that
are maintained by dredging. Dredging is also used to maintain channels in the nearshore marine
environment. Many rivers in the range of the Gulf of Maine DPS also have navigation channels
that are maintained by dredging. Dredging outside of federal channels and in -water construction
occurs throughout the range of the New York Bight and Gulf of Maine DPSs.
Water Quality
Atlantic sturgeon rely on a variety of water quality parameters to successfully carry out their life
functions. Low DO and the presence of contaminants modify the quality of Atlantic sturgeon
habitat and in some cases, restrict the extent of suitable habitat for life functions. Secor (1995)
noted a correlation between low abundances of sturgeon during this century and decreasing
water quality caused by increased nutrient loading and increased spatial and temporal frequency
of hypoxic (low oxygen) conditions. Of particular concern is the high occurrence of low DO
coupled with high temperatures in the river systems throughout the range of the Carolina and
South Atlantic DPSs in the Southeast. Sturgeon are more highly sensitive to low DO than other
fish species (Niklitschek and Secor 2009a; Niklitschek and Secor 2009b) and low DO in
combination with high temperature is particularly problematic for Atlantic sturgeon. Studies
have shown that juvenile Atlantic sturgeon experience lethal and sublethal (metabolic, growth,
feeding) effects as DO drops and temperatures rise (Niklitschek and Secor 2005; Niklitschek and
Secor 2009a; Niklitschek and Secor 2009b; Secor and Gunderson 1998).
Reductions in water quality from terrestrial activities have modified habitat utilized by the South
Atlantic DPS. Low DO is modifying sturgeon habitat in the Savannah due to dredging, and non -
point source inputs are causing low DO in the Ogeechee River and in the St. Marys River, which
completely eliminates juvenile nursery habitat in summer. Low DO has also been observed in
the St. Johns River in the summer. In the Pamlico and Neuse systems occupied by the Carolina
DPS, nutrient -loading and seasonal anoxia are occurring, associated in part with concentrated
animal feeding operations. Heavy industrial development and concentrated feeding operations
have degraded water quality in the Cape Fear River. Water quality in the Waccamaw and
Yadkin -Pee Dee Rivers has been affected by industrialization and riverine sediment samples
contain high levels of various toxins, including dioxins. Decreased water quality also threatens
Atlantic sturgeon of the Chesapeake Bay DPS, especially since the Chesapeake Bay system is
vulnerable to the effects of nutrient enrichment due to a relatively low tidal exchange and
flushing rate, large surface -to -volume ratio, and strong stratification during the spring and
summer months (ASMFC 1998; ASSRT 2007; Pyzik et al. 2004). These conditions contribute to
reductions in DO levels throughout the bay. The availability of nursery habitat, in particular,
may be limited given the recurrent hypoxia (low DO) conditions within the Bay (Niklitschek and
Secor 2005; Niklitschek and Secor 2010). Both the Hudson and Delaware Rivers, as well as
other rivers in the New York Bight region, were heavily polluted in the past from industrial and
sewer discharges. In the past, many rivers in Maine, including the Androscoggin River, were
heavily polluted from industrial discharges from pulp and paper mills. While water quality has
improved and most discharges are limited through regulations, many pollutants persist in the
benthic environment of the New York Bight and Gulf of Maine DPSs. It is particularly
problematic if pollutants are present on spawning and nursery grounds, as developing eggs and
larvae are particularly susceptible to exposure to contaminants.
Water Quantity
Water allocation issues are a growing threat in the Southeast and exacerbate existing water
quality problems. Taking water from one basin and transferring it to another fundamentally and
irreversibly alters natural water flows in both the originating and receiving basins, which can
affect DO levels, temperature, and the ability of the basin of origin to assimilate pollutants
(GWC 2006). Water quality within the river systems in the range of the South Atlantic and
Carolina DPSs is negatively affected by large water withdrawals. Known water withdrawals of
over 240 million gallons per day (mgd) are permitted from the Savannah River for power
generation and municipal uses. However, permits for users withdrawing less than 100,000
gallons per day are not required, so actual water withdrawals from the Savannah and other rivers
within the range of the South Atlantic DPS are likely much higher. In the range of the Carolina
DPS, 20 interbasin water transfers in existence prior to 1993, averaging 66.5 mgd, were
authorized at their maximum levels without being subjected to an evaluation for certification by
the North Carolina Department of Environment and Natural Resources (NCDENR) or other
resource agencies. Since the 1993 legislation requiring certificates for transfers, almost 170 mgd
of interbasin water withdrawals have been authorized, with an additional 60 mgd, pending
certification. The removal of large amounts of water from these systems will alter flows,
temperature, and DO. Water shortages and "water wars" are already occurring in the rivers
occupied by the South Atlantic and Carolina DPSs and will likely be compounded in the future
by population growth and potentially by climate change.
Climate Change
The Intergovernmental Panel on Climate Change (IPCC) projects with high confidence that
higher water temperatures and changes in extremes, including floods and droughts, will affect
water quality and exacerbate many forms of water pollution—from sediments, nutrients,
dissolved organic carbon, pathogens, pesticides, and salt, as well as thermal pollution—with
possible negative impacts on ecosystems (IPCC 2008). In addition, sea level rise is projected to
extend areas of salinization of groundwater and estuaries, resulting in a decrease of freshwater
availability for humans and ecosystems in coastal areas. Some of the most heavily populated
areas are low-lying, and the threat of saltwater entering into its aquifers with projected sea level
rise is a concern (USGRG 2004). Existing water allocation issues would be exacerbated, leading
59
to an increase in reliance on interbasin water transfers to meet municipal water needs, further
stressing water quality.
Dams, dredging, and poor water quality have already modified and restricted the extent of
suitable habitat for Atlantic sturgeon spawning and nursery habitat. Changes in water
availability (depth and velocities) and water quality (temperature, salinity, DO, contaminants,
etc.) in rivers and coastal waters inhabited by Atlantic sturgeon resulting from climate change
will further modify and restrict the extent of suitable habitat for Atlantic sturgeon. Effects could
be especially harmful since these populations have already been reduced to low numbers,
potentially limiting their capacity for adaptation to changing environmental conditions (Belovsky
1987; Salwasser et al. 1984; Soule 1987; Thomas 1990).
The effects of changes in water quality (temperature, salinity, DO, contaminants, etc.) in rivers
and coastal waters inhabited by Atlantic sturgeon are expected to be more severe for those
populations that occur at the southern extreme of the Atlantic sturgeon's range, and in areas that
are already subject to poor water quality as a result of eutrophication. The South Atlantic and
Carolina DPSs are within a region the IPCC predicts will experience overall climatic drying
(IPCC 2008). Atlantic sturgeon from these DPSs are already susceptible to reduced water
quality resulting from various factors: inputs of nutrients; contaminants from industrial activities
and non -point sources; and interbasin transfers of water. In a simulation of the effects of water
temperature on available Atlantic sturgeon habitat in Chesapeake Bay, Niklitschek and Secor
(2005) found that a PC increase of water temperature in the bay would reduce available
sturgeon habitat by 65%.
Vessel Strikes
Vessel strikes are a threat to the Chesapeake Bay and New York Bight DPSs. Eleven Atlantic
sturgeon were reported to have been struck by vessels on the James River from 2005 through
2007. Several of these were mature individuals. From 2004-2008, 29 mortalities believed to be
the result of vessel strikes were documented in the Delaware River; at least 13 of these fish were
large adults. The time of year when these events occurred (predominantly May through July,
with 2 in August), indicate the animals were likely adults migrating through the river to the
spawning grounds. Because we do not know the percent of total vessel strikes that these
observed mortalities represent, we are not able to quantify the number of individuals likely killed
as a result of vessel strikes in the Chesapeake and New York Bight DPSs.
Bycatch Mortality
Overutilization of Atlantic sturgeon from directed fishing caused initial severe declines in
Atlantic sturgeon populations, from which they have never rebounded. Further, continued
overutilization of Atlantic sturgeon as bycatch in commercial fisheries is an ongoing impact to
Atlantic sturgeon in all 5 DPSs. Atlantic sturgeon are more sensitive to bycatch mortality
because they are a long-lived species, have an older age at maturity, have lower maximum
reproductive rates, and a large percentage of egg production occurs later in life. Based on these
life history traits, (Boreman 1997) calculated that Atlantic sturgeon can only withstand the
annual loss of up to 5% of their total population to bycatch mortality without suffering
population declines. Mortality rates of Atlantic sturgeon taken as bycatch in various types of
fishing gear range between 0% and 51 %, with the greatest mortality occurring in sturgeon caught
by sink gillnets. Currently, there are estimates of the number of Atlantic sturgeon captured and
killed in sink gillnet and otter trawl fisheries authorized by Fishery Management Plans (FMPs) in
the Northeast Region (Miller and Shepherd 2011). Those estimates indicate from 2006-2010, on
average there were 1,548 and 1,569 encounters per year in observed gillnet and trawl fisheries,
respectively, with an average of 3,118 encounters combined annually. Mortality rates in gillnet
gear were approximately 20%, while mortality rates in otter trawl gear are generally lower, at
approximately 5%. Atlantic sturgeon are particularly vulnerable to being caught in sink gillnets;
therefore, fisheries using this type of gear account for a high percentage of Atlantic sturgeon
bycatch. Atlantic sturgeon are incidentally captured in state and federal fisheries, reducing
survivorship of subadult and adult Atlantic sturgeon (ASMFC 2007; Stein et al. 2004). Little
data exists on bycatch in the Southeast and high levels of bycatch underreporting are suspected.
However, fisheries known to incidentally catch Atlantic sturgeon occur throughout the marine
range of the species and in some riverine waters as well. Because Atlantic sturgeon mix
extensively in marine waters and may access multiple river systems, they are subject to being
caught in multiple fisheries throughout their range. In addition, stress or injury to Atlantic
sturgeon taken as bycatch but released alive may result in increased susceptibility to other
threats, such as poor water quality (e.g., exposure to toxins and low DO). This may result in
reduced ability to perform major life functions, such as foraging and spawning, or even post -
capture mortality.
4.3 Status of the Species within the Action Area
We believe the hopper dredging and relocation trawling components of the proposed action are
likely to adversely affect green sea turtle (NA and SA DPSs), Kemp's ridley sea turtle,
loggerhead sea turtle (NWA DPS), and Atlantic sturgeon (All 5 DPSs). Effects to these species
from these components of the action are discussed in Section 6. The following subsections are
synopses of the best available information regarding the status of green sea turtle (NA & SA
DPSs), Kemp's ridley sea turtle loggerhead sea turtle (NWA DPS), and Atlantic sturgeon (all 5
DPSs) within the action area.
4.3.1 Sea Turtles
Sea turtle nesting season in North Carolina occurs May 1 through September 15, peaking in mid-
June through the end of July. As stated above, all components of the proposed action will occur
November 16 — April 30 to avoid the North Carolina sea turtle nesting and hatching season.
North Carolina's sounds and estuaries provide important developmental and foraging habitats for
post -pelagic green, Kemp's ridley, and loggerhead sea turtles. Most of the information regarding
the inshore distribution of sea turtles in North Carolina comes from studies in the Pamlico -
Albemarle estuarine complex, which is north of the action area. In general, these sea turtle
species move inshore during the spring and disperse throughout the sounds during the summer,
then leave the sounds and move offshore during the late fall and early winter. (Epperly et al.
1995) reported the presence of sea turtles in back -barrier estuaries along the NC coast from April
through December. (Goodman et al. 2007) reported the presence of sea turtles in Core and
61
Pamlico Sounds and the nearshore ocean waters of Raleigh Bay within 1 mi of shore from April
through November.
Several studies have reported a strong relationship between sea turtle distribution and sea surface
temperature. (Goodman et al. 2007) conducted aerial sea turtle surveys and sea surface
temperature monitoring in Core Sound, Pamlico Sound, and adjacent nearshore ocean waters
within 1 mi of shore from July 2004 to April 2006. All but 1 of the 92 sea turtle observations
occurred in waters where sea surface temperatures were above 51.8 OF (11 °C). All sightings in
the sounds occurred between April 16 and November 20 and all sightings in the nearshore ocean
occurred between April 23 and November 27. The winter distribution of sea turtles offshore of
Cape Hatteras also correlated with sea surface temperatures above 51.8 OF (11 °C) (Epperly et al.
1995c). In a similar study by (Coles and Musick 2000), sea turtle distribution offshore of Cape
Hatteras (from shore to edge of Gulf Stream) was restricted to sea surface temperatures >55.9 °F
(>13.3 °C). While these studies occurred north of the action area, we feel it is prudent to use sea
surface temperature of 51.8 OF (11 °C) as an indicator of when green sea turtle and loggerhead
sea turtle may use the action area.
The following subsections contain sea turtle species-specific nesting and stranding data for the
action area.
4.3.1a Green Sea Turtle (NA and SA DPSs
Green sea turtle nesting and stranding data in the action area has occurred sporadically and in
small numbers in recent years. A total of 7 green sea turtle nests were reported along Bogue
Banks from 2009-2017 (Table 10; Seaturtle.org accessed by consulting biologist on March 19,
2018). A total of 69 green sea turtles have stranded on Bogue Banks from 1976 through March
19, 2018 (Seaturtle.org accessed by consulting biologist on March 19, 2018).
Table 10. Green Sea Turtle Nesting on Bogue Banks (2009-2017)
Year
Atlantic
Beach
Emerald
Isle
Ft. Macon State
Park
Indian
Beach/Salter Path
Pine
Knoll
Shores
Total
2009
0
0
0
0
0
0
2010
0
1
0
0
1
2
2011
0
0
0
0
0
0
2012
1 0
1
0
0
0
1
2013
0
0
0
0
0
0
2014
0
0
0
0
0
0
2015
0
2
0
1
0
3
2016
0
0
0
0
1
1
2017
0
0
0
0
0
0
Total
0
4
0
1
2
7
62
4.3.1b Kemp's ridley Sea Turtle
A total of 3 Kemp's ridley sea turtle nests were reported along Bogue Banks from 2009-2017: all
3 were on Indian Beach/Salter Path (1 in 2014 and 2 in 2017; Seaturtle.org accessed by
consulting biologist on March 19, 2018). A total of 60 Kemp's ridley sea turtles have stranded
on Bogue Banks from 1976 through March 19, 2018 (Seaturtle.org accessed by consulting
biologist on March 19, 2018).
4.3.1c Loggerhead Sea Turtle (NWA DPS)
A total of 366 loggerhead sea turtle nests were recorded along Bogue Banks from 2000-2017
(Table 11). Approximately 55% (n=200) were located on the beaches of Emerald Isle. A total
of 95 loggerhead sea turtles have stranded on Bogue Banks from 1976 through March 19, 2018
(Seaturtle.org accessed by consulting biologist on March 19, 2018).
Table 11. Loggerhead Sea Turtle Nesting on Bogue Banks (2009-2017)
Year
Atlantic
Beach
Emerald
Isle
Ft. Macon State
Park
Indian
Beach/Salter Path
Pine
Knoll
Shores
Total
2009
4
16
6
5
4
35
2010
4
28
5
5
10
52
2011
4
17
4
3
No Data
28
2012
1 1
29
2
6
0
38
2013
9
10
5
3
9
36
2014
0
16
0
1
1
18
2015
6
13
7
1
6
33
2016
9
52
2
6
10
79
2017
9
19
6
3
10
47
Total
46
200
37
33
50
366
4.3.2 Atlantic Sturgeon (All 5 DPSs Combined)
Atlantic sturgeon were historically abundant in most North Carolina coastal rivers and estuaries.
Because adult Atlantic sturgeon from all DPSs mix extensively in marine waters, we expect fish
from all 5 DPSs (not just the Carolina DPS as proposed by USACE and BOEM) to be present in
the action area. However, only the Carolina DPS is expected to spawn near the action area. The
Cape Fear River (84 mi south of the action area) and the Neuse River (67 mi north of the action
area) contain current spawning populations of Atlantic sturgeon within the range of the Carolina
DPS. When not spawning, coastal migrations by adult Atlantic sturgeon are extensive and are
known to occur over sand substrate (Greene et al. 2009). When adult Atlantic sturgeon reside in
the marine habitat, they forage extensively on mollusks, gastropods, amphipods, isopods, and
small fishes, especially sand lances (Ammodytes sp.). Atlantic sturgeon from Georgia to
Chesapeake Bay remain in the marine and estuarine habitat until they migrate back to their natal
rivers to spawn (i.e., late summer and fall). Because adult Atlantic sturgeon migrate along the
coast when not spawning and tend to use estuaries, the timing of the proposed action means that
it is more likely that Atlantic sturgeon may be present in the action area. NMFS believes that no
63
individual sturgeon is likely to be a permanent resident of the nearshore or offshore waters of
Bogue Banks, North Carolina, although some individuals may be present in any portion of the
action area at any given time. Based on their foraging and spawning habitat preferences,
Atlantic sturgeon may be affected by activities occurring in the inshore, nearshore, and offshore
marine environment and, therefore, the status of the 5 Atlantic sturgeon DPSs in the action area,
as well as the threats to these DPSs, are considered to be the same as those discussed in Section
4.2.2.
5 ENVIRONMENTAL BASELINE
This section is a description of the effects of past and ongoing human and natural factors leading
to the current status of the species, their habitat (including designated critical habitat), and
ecosystem, within the action area. The environmental baseline does not include the effects of the
action under review in this Opinion.
By regulation, environmental baselines for biological opinions include the past and present
impacts of all state, federal, or private actions and other human activities in the action area. We
identify the anticipated impacts of all proposed federal projects in the specific action area of the
consultation at issue, that have already undergone formal or early Section 7 consultation as well
as the impact of state or private actions which are contemporaneous with the consultation in
process (50 CFR 402.02).
Focusing on the impacts of the activities in the action area specifically, allows us to assess the
prior experience and state (or condition) of the endangered and threatened individuals, and areas
of designated critical habitat that occur in an action area, and that will be exposed to effects from
the action under consultation. This is important because, in some phenotypic states or life
history stages, listed individuals will commonly exhibit, or be more susceptible to, adverse
responses to stressors than they would be in other states, stages, or areas within their
distributions. The same is true for localized populations of endangered and threatened species:
the consequences of changes in the fitness or performance of individuals on a population's status
depends on the prior state of the population.
The following subsections are synopses of the actions and the effects these actions have had or
are having on green sea turtle, Kemp's ridley sea turtle, loggerhead sea turtle, and Atlantic
sturgeon within the action area.
5.1 Federal Actions
5. LI ESA Section 10 Permits
Sea turtles and Atlantic sturgeon are the focus of research activities authorized by Section 10
permits under the ESA. The ESA allows the issuance of permits to take listed species for the
purposes of scientific research and enhancement (Section 10(a)(1)(A)). In addition, the ESA
allows for NMFS to enter into cooperative agreements with states, developed under Section 6 of
the ESA, to assist in recovery actions of listed species. Prior to issuance of these authorizations,
the proposal must be reviewed for compliance with Section 7 of the ESA. Per a search of the
01
NOAA Fisheries Authorizations and Permits for Protected Species (APPS) database by the
consulting biologist on July 10, 2018, there were 5 active Section 10(a)(1)(A) scientific research
permits applicable to green, Kemp's ridley, and loggerhead sea turtles within the action area.
These permits allow the capture, handling, sampling, and release of these turtle species (all life
stages except hatchlings) and range in purpose from reducing bycatch in commercial fisheries to
gaining better scientific knowledge. Per a search of the NOAA Fisheries APPS database by the
consulting biologist on July 10, 2018, there are 3 active Section 10(a)(1)(A) scientific research
permits applicable to Atlantic sturgeon within the action area. These permits allow federal and
state agency personnel to collect, necropsy, sample, and/or salvage dead any Atlantic sturgeon
found beached, sunken, or floating. U.S. facilities authorized to hold captive bred sturgeon are
also authorized to collect, necropsy, and sample under this permit, should a captive Atlantic
sturgeon need to be euthanized. Opportunistic research such as this may be useful for scientific
and educational purposes.
5.1.2 Other Actions under the ESA
Status reviews of the green sea turtle were completed on August 31, 2007, and March 30, 2015.
Each review determined that no delisting or reclassification of a species status (i.e., threatened or
endangered) was warranted at the time.
A draft bi-national recovery plan for Kemp's ridley sea turtle was published on March 6, 2010
(75 FR 12496). A 5 -year review was completed in July 2015 and determined that no delisting or
reclassification of a species status (i.e., threatened or endangered) was warranted at the time.
A revised recovery plan for the loggerhead sea turtle was completed December 8, 2008 (NMFS
and USFWS 2008a). Status reviews of the loggerhead sea turtle were completed on August 11,
2009, and August 31, 2007. Each review determined that no delisting or reclassification of a
species status (i.e., threatened or endangered) was warranted at the time.
A recovery plan for Atlantic sturgeon has not yet been developed.
5.1.3 Vessel Activity and Operations
Potential sources of adverse effects from federal vessel activity and operations in the action area
include operations of the United States Navy (USN) and United State Coast Guard (USCG).
Through the Section 7 process, where applicable, NMFS has and will continue to establish
conservation measures for all these agency vessel operations to avoid or minimize adverse
effects to listed species. Refer to the Biological Opinions for the USCG (NMFS 1995; NMFS
1996) and the USN (NMFS 1996; NMFS 1997b; NMFS 2013) for details on the scope of vessel
operations for these agencies and conservation measures implemented as standard operating
procedures.
5.1.4 Dredging
The construction and maintenance of federal navigation channels and sand mining sites ("borrow
areas") conducted by the USACE has been identified as a source of sea turtle mortality. Hopper
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dredges have been known to entrain and kill sea turtles as the suction dragheads of the advancing
dredge. Entrainment events most likely occur when hopper dredge dragheads approach an
animal that is oriented on the bottom and either resting or foraging and moving at minimal speed.
In most cases, the entrainment scenario occurs when the operating environment presents
challenges for the turtle deflector to operate as designed and the operator is not able to keep the
draghead(s) fixed on the bottom. Similarly, entrainment can occur when a sea turtle burrows
into the substrate or is within a hole/trench/depression that the draghead moves over. Entrained
sea turtles rarely survive.
Hopper dredging can also affect Atlantic sturgeon through environmental effects and direct
capture. Environmental effects of dredging that could also affect sturgeon include the following:
(1) direct removal/burial of organisms; (2) turbidity/siltation effects; (3) contaminant
resuspension; (4) noise/disturbance; (5) alterations to hydrodynamic regime and physical habitat;
and (6) loss of riparian habitat (Chytalo 1996; Winger et al. 2000).
Maintenance dredging of federal navigation channels can adversely affect Atlantic sturgeon due
to their benthic nature. Dickerson (2011) summarized observed lethal take of 21 sturgeon from
maintenance dredging of federal navigation channels conducted by the USACE along the U.S.
Atlantic coast from 1990-2010: 6 shortnose, 11 Atlantic, and 1 unidentified due to
decomposition. Of the 11 Atlantic sturgeon lethal takes, 1 was due to interaction with a
mechanical dredge, 0 were from a cutterhead dredge, and 10 were from a hopper dredges.
Notably, reports include only those trips when an observer was on board to document capture.
NMFS completed a regional Biological Opinion on the impacts of USACE's South Atlantic
coast hopper -dredging operations in 1997 for dredging in the USACE's South Atlantic Division
(NMFS 1997c). The regional Biological Opinion on South Atlantic hopper dredging (SARBO)
of navigational channels and borrow areas determined that hopper dredging would not adversely
affect leatherback sea turtles in the South Atlantic Division (i.e., coastal states of North Carolina
through Key West, Florida). The Opinion determined hopper dredging in the South Atlantic
Division would adversely affect 4 sea turtle species (i.e., green, hawksbill, Kemp's ridley, and
loggerhead ), but it would not jeopardize their continued existence. Atlantic sturgeon were not
included in the 1997 SARBO. As stated above, reinitiation of consultation on the 1997 SARBO
has been triggered for a number of reasons, including listing of new species and designation of
critical habitat that may be affected by these dredging activities. Outside projects covered by
SARBO, there have been no other dredging Opinions for sea turtles or Atlantic sturgeon within
the action area as per a review of the NMFS PRD's completed consultation database and a search
of PCTS records by the consulting biologist on April 23, 2017.
5.1.5 Beach Nourishment
The USACE issues Clean Water Act permits for disposal of material in navigable waters of the
United States, including beach nourishment. The activity of beach nourishment, particularly
when impacts include the loss of nearshore hard bottom habitat along the east coast of Florida,
has been documented to result in injury and death of juvenile green sea turtles. Juvenile green
turtles are known to utilize these high-energy, dynamic habitats for foraging and as refuge, and
show a preference for this habitat even when abundant deeper -water sites are available. The loss
of such limited habitat, especially when considering the cumulative loss as a result of beach
nourishment activities occurring along the entire range of the habitat and continually over time,
is expected to result in loss of foraging opportunities and protective refuge. The stresses are also
expected to contribute to mortality of individuals already in poor condition as a result of disease
or other factors. Beach nourishment permitted by the USACE also often involves use of a
hopper dredge to collect nourishment material, thus posing another route of adverse effects to sea
turtles. There are no beach nourishment Opinions within the action area as per a review of the
NMFS PRD's completed consultation database and a search of PCTS records by the consulting
biologist on April 23, 2017.
5.1.6 Fisheries Monitoring
NMFS Integrated Fisheries Independent Monitoring Activities in the Southeast (Atlantic) Region
promotes and funds projects conducted by the SEFSC and other NMFS partners to collect
fisheries independent data. The various projects use a variety of gear (e.g., trawls, nets, etc.) to
conduct fishery research. NMFS issued an Opinion on the continued authorization and
implementation of these projects on May 9, 2016 (SER -2009-07541). The Opinion determined
the continued authorization and implementation of these projects would adversely affect ESA -
listed sea turtle species and Atlantic sturgeon (all 5 DPSs), but it would not jeopardize their
continued existence.
5.1.7 Federally Managed Fisheries
Sea turtles are adversely affected by fishing gears used throughout the continental shelf of the
action area. Hook -and -line gear, trawl, and pot fisheries have all been documented as interacting
with sea turtles. Atlantic sturgeon are adversely affected by fishing gears used throughout the
action area. While a number of different gears are used (e.g., gillnet, longline, other types of
hook -and -line gear, trawl gear, and pot fisheries), Atlantic sturgeon bycatch mainly occurs in
gillnets, with the greatest number of captures and highest mortality rates occurring in sink
gillnets. Atlantic sturgeon are also taken in trawl fisheries, though recorded captures and
mortality rates are low. Formal Section 7 consultations have been conducted on the fisheries
discussed in the following sections, occurring at least in part within the action area; these
fisheries use gear known to adversely affect listed sea turtle species and Atlantic sturgeon. A
brief summary of each fishery is provided below, but more detailed information can be found in
the respective Opinions.
5.1.7a Finfish Fisheries
In February 2012, NMFS issued an Opinion on the continued authorization of the Atlantic
dolphin-wahoo fishery (SER -2012-00410). The Opinion concluded the fishery may adversely
affect, but would not jeopardize the continued existence of any ESA -listed sea turtle species.
NMFS concluded that this fishery was not likely to adversely affect Atlantic sturgeon.
In 2012, NMFS issued an Opinion on the continued authorization of Highly Migratory Species
Atlantic shark fisheries (NMFS 2012a). This commercial fishery uses bottom longline and
gillnet gear. The recreational sector of the fishery uses only hook -and -line gear. To protect
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declining shark stocks, the proposed action seeks to greatly reduce the fishing effort in the
commercial component of the fishery. These reductions are likely to greatly reduce the
interactions between the commercial component of the fishery and sea turtles. The Opinion
concluded that ESA -listed sea turtle species may be adversely affected by operation of the
fishery but that the proposed action was not expected to jeopardize the continued existence of
any of these species. NMFS (2012a) was the first formal consultation that evaluated the
potential adverse effects of these fisheries on all 5 DPSs of Atlantic sturgeon. Hook -and -line
gear (including bottom longline gear) is considered not likely to adversely affect Atlantic
sturgeon. NMFS (2012a) considered the potential adverse effects from bottom longline gear on
Atlantic sturgeon to be discountable. It did anticipate the capture of Atlantic sturgeon in shark
and smoothhound gillnet gear, but concluded the proposed action was not likely to jeopardize the
continued existence of the species.
The Atlantic bluefish fishery has been operating in the U.S. Atlantic for at least the last half
century, although its popularity did not heighten until the late 1970s and early 1980s (MAFMC
and ASMFC 1998). The gears used include otter trawls, gillnets, and hook -and -line. The
majority of commercial fishing activity in the north Atlantic and mid-Atlantic occurs in the late
spring to early fall, when bluefish are most abundant in these areas (NEFSC 2005). Formal
consultations on the fishery have been conducted in 1999, 2010, and most recently in December
2013. The 2013 consultation included an evaluation of the effects of the fishery on ESA -listed
whales, sea turtles, and the newly listed Atlantic sturgeon. The bluefish fishery was considered
as part of a larger "batched" consultation which evaluated the effects of the (1) Northeast
multispecies, (2) monkfish, (3) spiny dogfish, (4) Atlantic bluefish, (5) Northeast skate complex,
(6) Atlantic mackerel/squid/butteriish, and (7) summer flounder/scup/BSB fisheries. The
consultation concluded that the continued operation of the Atlantic bluefish fishery was likely to
adversely affect, but not jeopardize, the continued existence of any ESA -listed sea turtle species
or any DPS of Atlantic sturgeon.
NMFS completed a Section 7 consultation on the continued authorization of the coastal
migratory pelagic resources fishery in the Gulf of Mexico and South Atlantic in 2015 (NMFS
2015). In the Gulf of Mexico and South Atlantic, commercial fishers target king and Spanish
mackerel with hook -and -line (i.e., handline, rod -and -reel, and bandit), gillnet, and cast net gears.
Recreational fishers in both areas use only rod -and -reel. Trolling is the most common hook -and -
line fishing technique used by both commercial and recreational fishers. Although run-around
gillnets accounted for the majority of the king mackerel catch from the late 1950s through 1982,
in 1986, and in 1993, handline gear has been the predominant gear used in the commercial king
mackerel fishery since 1993 (NMFS 2015). The consultation concluded that the continued
operation of the coastal migratory pelagic resources fishery in the Gulf of Mexico and South
Atlantic was likely to adversely affect, but not jeopardize, the continued existence of any ESA -
listed sea turtles species or any DPS of Atlantic sturgeon.
NOAA Fisheries Service completed an Opinion on the South Atlantic snapper -grouper fishery
entitled: "The Continued Authorization of Snapper -Grouper Fishing in the U.S. South Atlantic
Exclusive Economic Zone (EEZ) as Managed Under the Snapper -Grouper Fishery Management
Plan of the South Atlantic Region (SGFMP), including Amendment 16 to the SGFMP" (SER -
2016 -17768) in 2016. The Opinion concluded the continued authorization of the fishery is not
.:
likely to jeopardize the continued existence of any ESA -listed sea turtles. The Opinion
concluded the continued authorization of the fishery is not likely to adversely affect any DPS of
Atlantic sturgeon.
5.1.7b Southeastern Shrimn Trawl Fisheries
Southeastern U.S. shrimp fisheries target primarily brown, white, and pink shrimp in inland
waters and estuaries through the state -regulated territorial seas and in federal waters of the EEZ.
As sea turtles rest, forage, or swim on or near the bottom, these species are captured by shrimp
trawls that are pulled along the bottom. In 1990, the National Research Council concluded that
the southeastern U.S. shrimp trawl fisheries affected more sea turtles than all other activities
combined and was the most significant anthropogenic source of sea turtle mortality in the U.S.
waters, in part due to the high reproductive value of turtles taken in this fishery (NRC 1990b).
On May 9, 2012, NMFS completed an Opinion that analyzed the continued implementation of
the sea turtle conservation regulations and the continued authorization of the Southeast shrimp
fisheries in federal waters under the Magnuson -Stevens Act (MSA) (NMFS 2012b). The
Opinion also considered a proposed amendment to the sea turtle conservation regulations that
would withdraw the alternative tow time restriction at 50 CFR 223.206(d)(2)(ii)(A)(3) for
skimmer trawls, pusher -head trawls, and wing nets (butterfly trawls) and instead require all of
these vessels to use TEDs. The Opinion concluded that the proposed action would not
jeopardize the continued existence of any sea turtle species. The Opinion requires NMFS to
minimize the impacts of incidental takes through monitoring of shrimp effort and regulatory
compliance levels, conducting TED training and outreach, and continuing to research the effects
of shrimp trawling on listed species. Subsequent to the completion of this opinion, NMFS
withdrew the proposed amendment to require TEDs in skimmer trawls, pusher -head trawls, and
wing nets. Consequently, NMFS reinitiated consultation on November 26, 2012. Consultation
was completed in April 2014 and determined the continued implementation of the sea turtle
conservation regulations and the continued authorization of the southeastern U.S. shrimp
fisheries in federal waters under the MSA was not likely jeopardize the continued existence of
any ESA -listed sea turtle species. Information considered in the Opinion also included the North
Carolina Division of Marine Fisheries reporting that no Atlantic sturgeon were observed in 958
observed tows conducted by commercial shrimp trawlers working in North Carolina waters (L.
Daniel, North Carolina Division of Marine Fisheries, pers. comm., via public comment on the
proposed rule to list Atlantic sturgeon, 2010). The Opinion concluded that the proposed action
was likely to adversely affect Atlantic sturgeon, but would not jeopardize the continued existence
of any DPS of Atlantic sturgeon.
5.2 State or Private Actions
5.2.1 Maritime Industry
Private and commercial vessels, including fishing vessels, operating in the action area have the
potential to interact with ESA -listed species. The effects of fishing vessels, recreational vessels,
or other types of commercial vessels on listed species may involve disturbance or
injury/mortality due to collisions or entanglement in anchor lines. Commercial traffic and
•
recreational pursuits can also adversely affect sea turtles through propeller and boat strikes. The
Sea Turtle Stranding and Salvage Network (STSSN) include many records of vessel interaction
with sea turtles where there are high levels of vessel traffic. The extent of the problem is
difficult to assess because we cannot know whether the majority of sea turtles are struck pre- or
post-mortem. It is important to note that minor vessel collisions may not kill an animal directly,
but may weaken or otherwise affect it so it is more likely to become vulnerable to effects such as
entanglements or predation. NMFS and the USCG have completed several formal consultations
on individual marine events that may affect sea turtles. We do not expect any effect to Atlantic
sturgeon from vessel collision due to the species' primarily benthic nature.
5.2.2 Coastal Development
Beachfront development, lighting, and beach erosion control all are ongoing activities along the
North Carolina coastline. These activities potentially reduce or degrade sea turtle nesting
habitats or interfere with hatchling movement to sea. Nighttime human activities along nesting
beaches may also discourage sea turtles from nesting sites. The extent to which these activities
reduce sea turtle nesting and hatchling production is unknown. However, more and more coastal
counties are adopting stringent protective measures to protect hatchling sea turtles from the
disorienting effects of beach lighting.
5.2.3 Fishery Independent Monitoring
The NCDENR collects, analyzes, and reports biological and fisheries information to describe the
conditions or health of recreationally important finfish populations and develop management
recommendations that would maintain or restore the stocks in coastal North Carolina. Due to the
use of trawls and nets, Atlantic sturgeon have been taken during the studies. The USFWS
provides funding for these studies and is in the process of reinitiating consultation with NMFS
(SER -2015-16821) on the potential effects to Atlantic sturgeon from the sampling program titled
"North Carolina Striped Bass Monitoring" funded through grant award NC -F -F 16AF01316 (F-
56-25).
5.2.4 State Fisheries
Recreational fishing as regulated by the State of North Carolina can affect protected species or
their habitats within the action area. Pressure from recreational fishing in and adjacent to the
action area is likely to continue. Observations of state recreational fisheries have shown that
loggerhead sea turtles are known to bite baited hooks and frequently ingest the hooks. Hooked
sea turtles have been reported by the public fishing from boats, piers, and beach, banks, and
jetties and from commercial anglers fishing for reef fish and for sharks with both single rigs and
bottom longlines (NMFS 2001). Additionally, lost fishing gear such as line cut after snagging on
rocks, or discarded hooks and line, can also pose an entanglement threat to sea turtles in the area.
A detailed summary of the known impacts of hook -and -line incidental captures to Kemp's ridley
and loggerhead sea turtles can be found in the TEWG reports (1998; 2000). While information
on sturgeon caught via recreational hook -and -line is sparse, hook -and -line gear (including
bottom longline gear) is considered not likely to adversely affect Atlantic sturgeon. There have
been no fishing pier biological opinions within the action area as per a review of the NMFS
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PRD's completed consultation database and a search of PCTS records by the consulting biologist
on April 23, 2017.
In August of 2007, NMFS issued a regulation (72 FR 43176, August 3, 2007) to require any
fishing vessels subject to the jurisdiction of the United States to take observers upon NMFS's
request. The purpose of this measure is to learn more about sea turtle interactions with fishing
operations, to evaluate existing measures to reduce sea turtle takes, and to determine whether
additional measures to address prohibited sea turtle takes may be necessary.
Atlantic sturgeon are also known to be adversely affected by gillnets and otter trawls. In fact,
given these gear types are used most frequently used in state waters, state fisheries may have a
greater impact on Atlantic sturgeon than federal fisheries using these same gear types.
Descriptions of Atlantic sturgeon captured in the South Atlantic shrimp fisheries operating in
both federal and state waters is described previously. In North Carolina, commercial large -mesh
gillnet fisheries targeting southern flounder, striped bass, American shad, hickory shad, and
catfishes are known to capture Atlantic sturgeon. Likewise, small -mesh gillnet fisheries
targeting spot, striped mullet, bluefish, spotted seatrout, weakfish, Atlantic menhaden, Spanish
mackerel, white perch, and kingfishes are also known to capture Atlantic sturgeon. North
Carolina Division of Marine Fisheries manages both types of gillnet fisheries via regulations
include mandatory gear attendance, net length limits, soak -time restrictions, net shot limits, net
height tie -down requirements, closed areas, mesh size restrictions, minimum distance between
fishing operations, marking and permitting requirements, and observer requirements.
North Carolina applied for, and received, an Incidental Take Permit from NOAA NMFS Office
of Protected Resources to authorize the capture of Atlantic sturgeon in their gillnet fisheries from
NMFS in 2014. The biological opinion relied on modeling to estimate future interactions. The
Opinion determined the continued operation of the fisheries was likely to adversely affect
Atlantic sturgeon DPSs but would not jeopardize their continued existence.
Poaching is likely another fishing threat and may be more prevalent where legal markets for
sturgeon exist from imports, commercial harvest, or commercial culture; impacts from poaching
to individual population segments are unknown.
5.2.5 Fishery Independent Monitoring
The NCDENR collects, analyzes, and reports biological and fisheries information to describe the
conditions or health of recreationally important finfish populations and develop management
recommendations that would maintain or restore the stocks in coastal North Carolina. Due to the
use of trawls and nets, Atlantic sturgeon have been taken during the studies. The USFWS
provides funding for these studies and is in the process of reinitiating consultation with NMFS
(SER -2015-16821) on the potential effects to Atlantic sturgeon from the sampling program titled
"North Carolina Striped Bass Monitoring" funded through grant award NC -F -F 16AF01316 (F-
56-25). Over the past 7 years, this study has taken approximately 229 Atlantic sturgeon (200
non -lethal, 29 lethal).
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5.3 Marine Debris and Acoustic Impacts
A number of activities that may affect ESA -listed sea turtle species and Atlantic sturgeon in the
action area include anthropogenic marine debris and acoustic effects. The effects from these
activities are difficult to measure. Where possible, conservation actions are being implemented
to monitor or study the effects to sea turtles from these sources.
5.4 Marine Pollution and Environmental Contamination
Sources of pollutants along the coastal areas include atmospheric loading of PCBs, stormwater
runoff from coastal towns and cities into rivers and canals emptying into bays and the ocean, and
groundwater and other discharges (Vargo et al. 1986). Nutrient loading from land-based sources
such as coastal community discharges is known to stimulate plankton blooms in closed or semi-
closed estuarine systems (Bowen and Valiela 2001; Rabalais et al. 2002). The effects on larger
embayments are unknown. Although pathological effects of oil spills have been documented in
laboratory studies of marine mammals and sea turtles (Vargo et al. 1986), the impacts of many
other anthropogenic toxins have not been investigated.
Coastal runoff, marina and dock construction, dredging, aquaculture, oil and gas exploration and
extraction, increased under water noise and boat traffic can degrade marine habitats used by sea
turtles and sturgeon (Colburn et al. 1996). The development of marinas and docks in inshore
waters can negatively impact nearshore habitats. An increase in the number of docks built
increases boat and vessel traffic. Fueling facilities at marinas can sometimes discharge oil, gas,
and sewage into sensitive estuarine and coastal habitats. Although these contaminant
concentrations do not likely affect the more pelagic waters, the species analyzed in this Opinion
travel between near shore and offshore habitats and may be exposed to and accumulate these
contaminants during their life cycles.
There are studies on organic contaminants and trace metal accumulation in green and leatherback
sea turtles (Aguirre et al. 1994; Caurant et al. 1999; Corsolini et al. 2000). McKenzie et al.
(1999) measured concentrations of PFCs and organochlorine pesticides (such as DDT) in sea
turtle tissues collected from the Mediterranean (Cyprus, Greece) and European Atlantic waters
(Scotland) between 1994 and 1996. Omnivorous loggerhead turtles had the highest
organochlorine contaminant concentrations in all the tissues sampled, including those from green
and leatherback turtles (Storelli et al. 2008). Dietary preferences were likely the main
differentiating factor among species. Decreasing lipid contaminant burdens with turtle size were
observed in green turtles, most likely attributable to a change in diet with age. Storelli et al.
(1998) analyzed tissues from 12 loggerhead sea turtles stranded along the Adriatic Sea (Italy)
and found that characteristically, mercury accumulates in sea turtle livers while cadmium
accumulates in their kidneys, as has been reported for other marine organisms like dolphins,
seals and porpoises (Law et al. 1991a).
5.5 Stochastic Events
Stochastic (i.e., random) events, such as hurricanes, occur in North Carolina and can affect the
action area. These events are by nature unpredictable, and their effect on the recovery of ESA -
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listed sea turtles and Atlantic sturgeon is unknown; yet, they have the potential to directly
impede recovery if animals die as a result or indirectly if important habitats are damaged. Other
stochastic events, such as a cold snap, can injure or kill these species.
5.6 Conservation and Recovery Actions Benefiting
NMFS has implemented a number of regulations aimed at reducing potential for incidental
mortality of sea turtles from commercial fisheries in the action area. These include sea turtle
release gear requirements for Atlantic Highly Migratory Species (HMS) and Gulf of Mexico reef
fish fisheries, and TED requirements for the southeastern shrimp fisheries. Sea turtles and
Atlantic sturgeon benefit from the use TEDs. TEDs and bycatch reduction device requirements
may reduce sea turtle and Atlantic sturgeon bycatch in Southeast trawl fisheries (ASSRT 2007).
NMFS has required the use of TEDs in southeast United States shrimp trawls since 1989 and in
summer flounder trawls in the mid-Atlantic area (south of Cape Charles, Virginia) since 1992 to
reduce the potential for incidental mortality of sea turtles in commercial trawl fisheries. These
regulations have been refined over the years to ensure that TED effectiveness is maximized
through more widespread use, and proper placement, installation, floatation, and configuration
(e.g., width of bar spacing). NMFS has also been working to develop a TED, which can be
effectively used in a type of trawl known as a flynet, which is sometimes used in the mid-
Atlantic and Northeast fisheries to target sciaenids and bluefish. A top -opening flynet TED was
certified in the summer of 2007, but experiments are still ongoing to certify a bottom -opening
TED. All of these changes may lead to greater conservation benefits for ESA -listed sea turtle
species and Atlantic sturgeon.
In 1998, the Atlantic States Marine Fisheries Commission (ASMFC) instituted a coast -wide
moratorium on the harvest of Atlantic sturgeon, which is to remain in effect until there are at
least 20 protected age classes in each spawning stock (anticipated to take up to 40 or more
years). NMFS followed the ASMFC moratorium with a similar moratorium on the harvest of
Atlantic sturgeon in federal waters. Amendment 1 to ASMFC's Atlantic sturgeon IMP also
includes measures for preservation of existing habitat, habitat restoration and improvement,
monitoring of bycatch and stock recovery, and breeding/stocking protocols.
6 EFFECT OF THE ACTION ON LISTED SPECIES
NMFS believes that the hopper dredging and relocation trawling components of the proposed
action are likely to adversely affect green sea turtle (NA and SA DPSs), Kemp's ridley sea turtle,
loggerhead sea turtle (NWA DPS), and Atlantic sturgeon (all 5 DPSs).
6.1 Hopper Dredging
As stated above, the management reaches are projected to require maintenance placements
totaling approximately 50.6 MCY over the 50 -year life of the project. It is conservatively
assumed for planning purposes that beach nourishment and channel alignment would require
hopper dredging of approximately 26.7 MCY over the 50 -year life of the project.
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A typical hopper dredge vessel operates with 2 trailing, suction dragheads simultaneously, 1 on
each side of the vessel. Sand will be dredged from the borrow areas and transported to the
nearshore waters adjacent to the beach. There it will be dispersed via pump and pipeline from
the hopper dredge. Because each dredge has a different capacity and will be sailing a different
distance based on placement reach, 3 to 6 dredge trips per day are estimated per dredge. Dredge
companies may use up to 3 dredges at a time. Based on current projections and timelines, the
days per event could be up to 250 days (8 months) with most events occurring up to 150 days (5
months).
During dredging operations, protected species observers will live aboard the dredge, monitoring
every load, 24 hours a day, for evidence of dredge -related impacts to protected species,
particularly sea turtles and sturgeon. When the dredge is transiting, observers will maintain a
bridge watch for protected species and keep a logbook noting the date, time, location, species,
number of animals, distance and bearing from dredge, direction of travel, and other information,
for all sightings. During all phases of dredging operations, the applicant will abide by the
minimization measures stated in section 3.1.4.
6. LI Effects of Hopper Dredging
Previous NMFS Opinions have determined that hopper dredges may adversely affect green sea
turtle, Kemp's ridley sea turtle, loggerhead sea turtle, and Atlantic sturgeon through crushing
and/or entrainment by the dredge's suction dragheads. NMFS has also previously determined
that dredged material screening is only partially effective at detecting entrained turtles, and
observed interactions likely provide only partial estimates of total mortality. NMFS believes that
ESA -listed species killed by hopper dredges go undetected because body parts are forced
through the sampling screens by water pressure and are buried in the dredged material, or
animals are crushed or killed but their bodies or body parts are not entrained by the suction and
so the interactions may go unnoticed. Mortalities are only noticed and documented when body
parts float, are large enough to be caught in the screens, and can be identified as sea turtle or
sturgeon parts. Body parts that are forced through the suction dragheads' 4 -in (or greater) inflow
screens by the suction -pump pressure and that do not float are unlikely to be observed, since they
will sink to the bottom of the hopper and not be detected by the overflow screening. The
majority of sea turtles killed by hopper dredges are immediately crushed or dismembered by the
heavy suction dragheads and/or by the force of the hopper dredges' powerful, high -velocity
dredge pumps. Very few sea turtles (over the years, a fraction of a percent) survive entrainment
in hopper dredges; these are usually smaller juveniles that are sucked through the pumps without
being dismembered or badly injured. Often they will appear uninjured only to die later of
unknown internal injuries while in rehabilitation. We have very little data for hopper dredge -
entrained Atlantic sturgeon; however, we know that this species has been lethally taken in
hopper dredge activities in spawning rivers in Georgia. Therefore, we are conservatively
predicting that all entrainment events by hopper dredges will be lethal for the green sea turtle,
Kemp's ridley sea turtle loggerhead sea turtle, and Atlantic sturgeon.
I
6.1.2 Estimated Mortality from Hopper Dredging
We used data from previous hopper dredging projects to determine the effects to green sea
turtles, Kemp's ridley sea turtle, loggerhead sea turtles, and Atlantic sturgeon. We selected these
projects based on proximity to the action area (i.e., inshore and offshore), similarity of dredge
type (i.e., hopper dredging), and time of year (i.e., November to April). We include hopper -
dredging projects from 1997 to 2018 because NMFS last revised the SARBO in 1997 to include
requirements and recommendations for dredging activities, similar to what will be required of the
proposed action. We believe that the projects in Table 12 represent the best available data to
help us determine potential lethal take of these species from hopper dredging due to the proposed
action.
Hopper dredging in and around the action area during this time generated approximately
20,270,955 cubic yards (yd3)of material (Table 12). Observed take during these projects
amounted to 2 green, 3 Kemp's ridley, and 17 loggerhead sea turtles sea turtles. This equates to
a catch -per -unit -effort (CPUE) of 0.000000099 green sea turtles per yd dredged (2 green sea
turtles - 20,270,955 total yd dredged), 0.000000148 Kemp's ridley sea turtles per yd dredged
(3 Kemp's ridley sea turtles - 20,270,955 total yd dredged), and 0.000000839 loggerhead sea
turtles per yd dredged (17 loggerhead sea turtles - 20,270,955 total yd3 dredged).
Table 12. Material Removed and Observed Take of Sea Turtle Species from Hopper
Dredging Projects in and around Carteret County, NC, 1997-2017 (*Data taken from
Piatkowski 20076; **Data provided by USACE and BOEM)
6 Piatkowski, Doug (2007) Annual Sea Turtle Monitoring Report, Wilmington District, Maintenance Dredging —
Fiscal Year 2006
75
Start
Date
Quantity
Green Sea
Kemp's
Loggerhead
Project Name (Authority)
(Month-
Dredged
Turtle Take
Ridley Sea
Sea Turtle
Year)
(yd')
Turtle Take
Take
Ocean Bar (USAGE)*
Apr -97
267,655
0
0
6
Ocean Bar (USAGE)*
Nov -98
2,240,267
0
0
1
Ocean Bar (USAGE)*
Nov -99
952,364
0
0
3
Ocean Bar (USAGE)*
Jan -00
1,793,378
0
0
0
Ocean Bar (USAGE)*
Jan -01
523,358
0
0
0
Bogue Banks Phase I - PKS
Nov -01
1,869,390
0
3
2
and IB (USACE)*
Ocean Bar (Range A; Cutoff)
Feb -02
62,160
0
0
0
(USACE)*
Bogue Banks Phase II -
Feb -03
989,895
0
0
1
Emerald Isle (USACE)*
Morehead City Ocean
Feb -04
789,998
Bar/Indian Beach Salter Path
0
0
0
993 (USACE)*
Bogue Banks Phase II
Mar -04
243,076
0
0
0
(USACE)*
Ocean Bar (USACE)*
Feb -05
285,119
0
1 0
1 0
6 Piatkowski, Doug (2007) Annual Sea Turtle Monitoring Report, Wilmington District, Maintenance Dredging —
Fiscal Year 2006
75
The final rule listing Atlantic sturgeon became effective April 6, 2012 (77 FR 5914; 77 FR
5879). Therefore, to estimate mortality for Atlantic sturgeon, we truncated the above table and
used only hopper dredging data in and around the action area from the effective date of the final
Oil
Start
Date
Quantity
Green Sea
Kemp's
Loggerhead
Project Name (Authority)
(Month-
Dredged
Turtle Take
Ridley Sea
Sea Turtle
Year)
(yd')
Turtle Take
Take
Ocean Bar (USACE)*
Jan -06
1,004,410
0
0
0
Morehead City Harbor Ocean
Jan -07
853 958
0
0
1
Bar (USACE)**
'
Wilmington Harbor Ocean
Dec -07
429 091
1
0
0
Bar (USACE)**
'
Morehead City Ocean Bar
Jan -08
466 127
0
0
0
(USACE)* *
'
Morehead City Inner Harbor
Mar -08
133 652
0
0
0
(USACE)**
'
Wilmington Harbor Ocean
Jan -09
948 477
0
0
0
Bar (USACE)**
'
Morehead City Inner and
Feb -09
621 561
0
0
0
Outer Bars (USACE)**
'
Wilmington Harbor Outer
Feb -10
1,004,359
0
0
0
Ocean Bar (USACE)**
Carolina Beach, Kure Beach
and Ocean Isle Beach
Mar -10
446,967
0
0
0
Nourishment (USACE)**
Wilmington Harbor Ocean
Dec -10
857 726
0
0
0
Bar (USACE)**
'
Wilmington Harbor Ocean
Bar & Mid -River Channel
Jan -12
327,483
0
0
0
(USACE)**
Morehead City Harbor -
Cutoff Channel & Range A
Jan -12
435,034
0
0
0
(USACE)**
Wilmington Harbor Ocean
Bar and Mid River Channels
Mar -12
83,849
0
0
0
(Emergency Dredging)
(USACE)**
Carteret County, North
Carolina, Post -Irene
Feb -13
1,042,417
0
0
0
(BOEM)* *
Holden Beach, North Carolina
Jan -17
1 279 283
1
0
1
(Private)**
'
Wilmington Harbor
Mar -17
319 901
0
0
2
(USACE)**
'
Total Take by Species
2
3
17
0 Total Quantity Dredged (yd')
20,270,955
CPUE
0.000000099
0.000000148
0.000000839
The final rule listing Atlantic sturgeon became effective April 6, 2012 (77 FR 5914; 77 FR
5879). Therefore, to estimate mortality for Atlantic sturgeon, we truncated the above table and
used only hopper dredging data in and around the action area from the effective date of the final
Oil
listing rule to present. Hopper dredging in and around the action area during this time generated
approximately 2,641,601 yd of material (Table 13). Observed take during these projects was 1
Atlantic sturgeon. This equates to a CPUE of 0.000000379 Atlantic sturgeon per yd dredged (1
Atlantic sturgeon - 2,641,601 total yd dredged).
Table 13. Material Removed and Observed Take of Atlantic Sturgeon from Hopper
Dredging Projects in and around Carteret County, NC, 2012-2017 (Data provided by
USACE
As stated above, approximately 26,700,000 yd over the 50 -year life of the project will be
obtained by hopper dredge. Using the CPUEs for sea turtle species from Table 12, we estimate
that the hopper dredging portion of the proposed action will result in the observed take of 3 green
sea turtles (0.000000099 x 26,700,000 yd dredged = 2.6, rounded up to 3), 4 Kemp's ridley sea
turtles (0.000000148 x 26,700,000 yd dredged), and 23 loggerhead sea turtles (0.000000839 x
26,700,000 yd dredged = 22.4, rounded up to 23) over the 50 -year life of the project. Using the
CPUE for Atlantic sturgeon from Table 13, we can estimate that the hopper dredging portion of
the proposed action will result in the observed take of approximately 11 Atlantic sturgeon
(0.000000379 x 26,700,000 yd dredged = 10. 1, rounded up to 11). We note here that we round
up to the next whole number when estimating take in sections 6.1 and 6.2 because it is not
possible to take a fraction of an animal.
It is not known how many sea turtles or Atlantic sturgeon are taken, but unobserved, by hopper
dredges. Therefore, because we have no new information, and to be conservative to all species,
we apply our longstanding assumption that observed interactions constitute only 50% of total
takes. Our ITS is based on observed takes, not only because observed mortality gives us an
estimate of unobserved mortality, but because observed, documented take numbers serve as a
trigger for some of the reasonable and prudent measures, and for potential reinitiation of
consultation if actual observed take exceeds the anticipated/authorized number of observed take.
November 19, 2003 Regional Biological Opinion on hopper dredging issued to the U.S. Army Corps of Engineers
for their Gulf of Mexico District's (i.e., Jacksonville, Mobile, New Orleans, and Galveston) maintenance dredging
and beach nourishment operations.
77
Start
Project Name (Authority)
Date
(Month-
Quantity
Dredged (yd')
A
Year )
Carteret County, North
Carolina, Post -Irene
Feb -13
1,042,417
0
BOEM **
Holden Beach, North
Jan -17
1,279,283
0
Carolina (Private)
Wilmington Harbor
Mar -17
319,901
1
USACE
Total Take
1
Total Quantity Dredged (yd')
2,641,601
CPUE
0.000000379
As stated above, approximately 26,700,000 yd over the 50 -year life of the project will be
obtained by hopper dredge. Using the CPUEs for sea turtle species from Table 12, we estimate
that the hopper dredging portion of the proposed action will result in the observed take of 3 green
sea turtles (0.000000099 x 26,700,000 yd dredged = 2.6, rounded up to 3), 4 Kemp's ridley sea
turtles (0.000000148 x 26,700,000 yd dredged), and 23 loggerhead sea turtles (0.000000839 x
26,700,000 yd dredged = 22.4, rounded up to 23) over the 50 -year life of the project. Using the
CPUE for Atlantic sturgeon from Table 13, we can estimate that the hopper dredging portion of
the proposed action will result in the observed take of approximately 11 Atlantic sturgeon
(0.000000379 x 26,700,000 yd dredged = 10. 1, rounded up to 11). We note here that we round
up to the next whole number when estimating take in sections 6.1 and 6.2 because it is not
possible to take a fraction of an animal.
It is not known how many sea turtles or Atlantic sturgeon are taken, but unobserved, by hopper
dredges. Therefore, because we have no new information, and to be conservative to all species,
we apply our longstanding assumption that observed interactions constitute only 50% of total
takes. Our ITS is based on observed takes, not only because observed mortality gives us an
estimate of unobserved mortality, but because observed, documented take numbers serve as a
trigger for some of the reasonable and prudent measures, and for potential reinitiation of
consultation if actual observed take exceeds the anticipated/authorized number of observed take.
November 19, 2003 Regional Biological Opinion on hopper dredging issued to the U.S. Army Corps of Engineers
for their Gulf of Mexico District's (i.e., Jacksonville, Mobile, New Orleans, and Galveston) maintenance dredging
and beach nourishment operations.
77
However, our jeopardy analysis will account for total take (observed take plus unobserved take).
Based on a 50% detection rate of hopper dredge -entrained species, NMFS estimates total lethal
take of green sea turtle, Kemp's ridley sea turtle, loggerhead sea turtle, and Atlantic sturgeon
over the 50 -year life of the project as listed in Table 14 below.
Table 14. Anticipated Amount of Lethal Take due to Hopper Dredging over the 50 -year
Life of the Project
6.2 Relocation Trawling
As stated above, relocation trawling will be employed when water temperatures exceed 57 OF
(13.8 °C) beginning 24 hours prior to hopper dredging. Regardless of water temperature, if 1 sea
turtle or Atlantic sturgeon is taken by a hopper dredge, trawlers will mobilize within 72 hours
and 24-hour trawling will commence.
During relocation trawling, 1 trawling vessel per dredge will operate 24 hours/day, 7 days/week.
Tow times (i.e., the duration that the trawl net will be in the water and capable of trapping sea
turtles or sturgeon) will be strictly limited to less than 42 minutes total time. Trawling speeds
will not exceed 3.5 kt.
Protected species observers will live aboard the relocation trawlers, monitoring all tows for
endangered and threatened species, as well as recording water temperatures, bycatch
information, and any sightings of protected species in the area. Any sea turtle or Atlantic
sturgeon captured during relocation trawling will be photographed, measured, biopsied for
genetics, tagged, and relocated at least 3 nmi away. During all phases of relocation trawling, the
applicant will abide by the harm avoidance and minimization measures stated in section 3.1.4.
6.2.1 Effects of Relocation Trawling
Relocation trawling is a proven method of reducing the density of sea turtles and sturgeon in
front of an advancing hopper dredge and very likely results in reduced lethal take from hopper
dredging(NMFS 2007). Relocation trawling is conducted only when it can be done safely. The
effects of relocation trawling are mostly nonlethal and non -injurious to captured sea turtles and
sturgeon species.
/:
Observed
Unobserved
Total
Hopper
Species
Hopper
per
Dredge
Dredge
Dredge Lthal
Lethal
Lethal Take
Take
Take
Green sea turtle (NA and SA DPS,
3
3
6
combined
Kemp's ridley sea turtle
4
4
8
Loggerhead sea turtle (NWA DPS)
23
23
46
Atlantic sturgeon (all 5 DPSs,
11
11
22
combined)
6.2 Relocation Trawling
As stated above, relocation trawling will be employed when water temperatures exceed 57 OF
(13.8 °C) beginning 24 hours prior to hopper dredging. Regardless of water temperature, if 1 sea
turtle or Atlantic sturgeon is taken by a hopper dredge, trawlers will mobilize within 72 hours
and 24-hour trawling will commence.
During relocation trawling, 1 trawling vessel per dredge will operate 24 hours/day, 7 days/week.
Tow times (i.e., the duration that the trawl net will be in the water and capable of trapping sea
turtles or sturgeon) will be strictly limited to less than 42 minutes total time. Trawling speeds
will not exceed 3.5 kt.
Protected species observers will live aboard the relocation trawlers, monitoring all tows for
endangered and threatened species, as well as recording water temperatures, bycatch
information, and any sightings of protected species in the area. Any sea turtle or Atlantic
sturgeon captured during relocation trawling will be photographed, measured, biopsied for
genetics, tagged, and relocated at least 3 nmi away. During all phases of relocation trawling, the
applicant will abide by the harm avoidance and minimization measures stated in section 3.1.4.
6.2.1 Effects of Relocation Trawling
Relocation trawling is a proven method of reducing the density of sea turtles and sturgeon in
front of an advancing hopper dredge and very likely results in reduced lethal take from hopper
dredging(NMFS 2007). Relocation trawling is conducted only when it can be done safely. The
effects of relocation trawling are mostly nonlethal and non -injurious to captured sea turtles and
sturgeon species.
/:
Dickerson et al. (2007) evaluated the effectiveness of relocation trawling for reducing
interactions with sea turtles by analyzing incidental interactions recorded in endangered species
observer reports, relocation trawling reports, and hopper dredging project reports from 1995
through 2006. They found that 358 dredging -related sea turtle interactions were reported
(Regions: Gulf = 147 sea turtles; Atlantic = 211 sea turtles) in the 319 hopper dredging projects
throughout the Gulf of Mexico (n = 128) and Atlantic Ocean (n = 191) that used endangered
species monitoring. In the 70 projects that used relocation trawling, 1,239 sea turtles were
reported (Gulf Regions = 844; Atlantic Region = 395). Loggerhead sea turtle was the
predominant species for both dredge interactions and relocation trawling interactions. Kemp's
ridley sea turtle ranked second. Green turtles were captured in trawls only during December
through March in the Gulf of Mexico. Relocation data for Atlantic sturgeon is sparse; however,
we know that relocation trawling is effective for reducing interactions between hopper dredges
and Atlantic sturgeon. As of January 18, 2017, recent operations in Savannah Harbor, Chatham
County, Georgia, have resulted in over 121 Atlantic sturgeon relocated in advance of dredging
operations, while only 8 Atlantic sturgeon have been observed as lethally taken by hopper
dredging.
There is a remote possibility that sea turtles could be injured by the trawl doors; 5 (0.4%) of
1,216 sea turtles captured by relocation trawlers from October 1, 2006, to June 14, 2011, during
USACE dredging projects resulted in immediate mortality (USACE Sea Turtle Data Warehouse
2014). Therefore, we will account for the potential of lethal take due to relocation trawling
below. No lethal interactions with Atlantic sturgeon as a result of relocation trawling have been
reported. All ESA -listed species captured via relocation trawling will be released unharmed in a
nearby area that contains the same habitat as the areas where the trawling will occur; thus, any
habitat displacement effects associated with the relocation trawling capture are expected to be
insignificant.
6.2.2 Estimated Take from Relocation Trawling
We used data from previous hopper dredging projects that employed relocation trawling in and
around the action area during the same time of year as the proposed action to determine the
effects of relocation trawling to sea turtles and Atlantic sturgeon. There have not been many
projects that employ relocation trawling near the action area, because relocation trawling is not
authorized under the 1997 SARBO. Relocation trawling in and around the action area between
1998 and 2013 relocated 7 loggerhead sea turtles and 0 green or Kemp's ridley sea turtles (Table
15). The total amount of material dredged during relocation trawling effort was 2,910,143 yd'.
This equates to a CPUE of 0.000001115 loggerhead sea turtles relocated per yd dredged (7
loggerhead sea turtles - 6,280,159 total yd dredged). Based on the best available data, we do
not expect any green sea turtles or Kemp's ridley sea turtles to be captured via relocation trawl.
71L,
Table 15. Observed Take of Sea Turtle Species from Relocation Trawling during Hopper
Dredging Projects in and around Carteret County, NC, 1997-2017 (*Data taken from
Piatkowski 20078; **Data provided by USACE Wil min ton and BOE
The observed take of Atlantic sturgeon from relocation trawling during hopper dredging projects
is listed in Table 16. Using the best available data, 79 Atlantic sturgeon have been relocated.
The total amount of material dredged during relocation trawling effort was 2,492,417 yd3. This
equates to a CPUE of 0.000031696 Atlantic sturgeon per yd dredged (79 Atlantic sturgeon
2,492,417 total yd dredged).
s Piatkowski, Doug (2007) Annual Sea Turtle Monitoring Report, Wilmington District, Maintenance Dredging —
Fiscal Year 2006
Start
Quantity
Green
Kemp's
Loggerhead
Project Name (Authority)
Da
Date
Dredged
Sea
ridley Sea
Sea Turtle
Yote
(yd')
Turtle
Turtle
Take
ear
Take
Take
Ocean Bar (USACE)*
Apr -97
267,655
0
0
2
Bogue Banks Phase I -
Nov -01
1 869 390
0
0
0
PKS and IB (USACE)*
'
Bogue Banks Phase II -
Feb -03
989 895
0
0
0
Emerald Isle (USACE)*
'
Bogue Banks Phase II
Mar -04
243 076
0
0
0
(USACE)*
'
Bogue Banks Beach
Nourishment (Phase 11)
Mar -04
1,867,726
0
0
5
(USACE)**
Carteret County, North
Carolina, Post -Irene
Feb -13
1,042,417
0
0
0
(BOEM)**
Total Take by Species
0
0
7
Total Quantity Dredged (yd')
6,280,159
CPUE
0
0
0.000001115
The observed take of Atlantic sturgeon from relocation trawling during hopper dredging projects
is listed in Table 16. Using the best available data, 79 Atlantic sturgeon have been relocated.
The total amount of material dredged during relocation trawling effort was 2,492,417 yd3. This
equates to a CPUE of 0.000031696 Atlantic sturgeon per yd dredged (79 Atlantic sturgeon
2,492,417 total yd dredged).
s Piatkowski, Doug (2007) Annual Sea Turtle Monitoring Report, Wilmington District, Maintenance Dredging —
Fiscal Year 2006
Table 16. Observed Take of Atlantic sturgeon from Relocation Trawling during Hopper
Dredging Projects (Data provided by USACE and BOEM)
Project Name
Start Date
Quantity
Atlantic Sturgeon
(Authority)
(Month -Year)
3
Dredged (yd )
Carteret County, North
Carolina, Post -Irene
Feb -13
1,042,417
0
(BOEM)
Brunswick County,
Jan -18
1,450,000
79
Georgia (USAGE)
Total Take
79
Total Dredged
2,492,417
CPUE
0.000031696
While the Brunswick County, Georgia, project is outside the action area, it represents the best
available relocation trawling data with the closest proximity and similar time of year to the
proposed action. We note here that the Brunswick County, Georgia, project occurred in very
close proximity to the mouth of two known spawning rivers for Atlantic sturgeon in Georgia
(i.e., the Satilla River is approximately 9 mi to the south and the Altamaha River is
approximately 15.5 mi to the north) where hopper dredging for the proposed action occurs
farther offshore at a much greater distance from known spawning rivers in North Carolina (i.e.,
at offshore ODMDS sites approximately 67 mi south of the mouth of the Neuse River and 84 mi
north of the mouth of the Cape Fear River). Therefore, we acknowledge that the number of
Atlantic sturgeon captured by relocation trawl in the Brunswick County, Georgia, project is
likely an over -estimation of relocation take that may occur in the proposed action. As stated
above, we are limited in the number of projects from which to choose because relocation
trawling is not allowed under the 1997 SARBO.
We conservatively assume that 26,700,000 yd over the 50 -year life of the project will be
obtained by hopper dredge. A conservative estimate would assume all hopper dredging would
require relocation trawling. Therefore, we estimate that the proposed action will result in the
relocation (non -lethal take) of 30 loggerhead sea turtles (0.000001115 X 26,700,000 yd dredged
= 29.8, rounded up to 30; Table 15) and 847 Atlantic sturgeon (0.000031696 X 26,700,000 yd
dredged = 846.3, rounded up to 847; Table 16) over the 50 -year life of the project.
As stated above, 0.4% of sea turtles captured by relocation trawlers from October 1, 2006, to
June 14, 2011, during USACE dredging projects resulted in immediate mortality (USACE Sea
Turtle Data Warehouse 2014). We apply this rate to the number of non -lethal captures estimated
from the proposed action and estimate that relocation trawling may lead to 1 lethal take of a
loggerhead sea turtle over the 50 -year life of the project (30 non -lethal takes X 0.4% = 0. 1,
rounded up to 1). So far, we have no information indicating that any Atlantic sturgeon have been
injured or killed during relocation trawling; therefore, we do not anticipate lethal take of this
species due to relocation trawling. We anticipate all take due to relocation trawling will be
observed.
Table 17. Anticipated Amount of Take due to Relocation Trawling over the 50 -year Life of
the Project
7 CUMULATIVE EFFECTS
Cumulative effects include the effects of future state, tribal, or local private actions— i.e., that
are not already in the baseline—that are reasonably certain to occur in the action area considered
in this Opinion. Future federal actions that are unrelated to the proposed action are not
considered in this section because they require separate consultation pursuant to Section 7 of the
ESA (50 CFR 402.14). Actions that are reasonably certain to occur would include actions that
have some demonstrable commitment to their implementation, such as funding, contracts,
agreements or plans.
Coastal development, channel dredging, and boating activities have degraded or modified sea
turtle habitats throughout the southeastern United States. Dams, dredging, and poor water
quality have modified and restricted the extent of suitable habitat for Atlantic sturgeon spawning
and nursery habitat. These threats were discussed above for each species. While the degradation
and modification of habitat is not likely the primary reason for the decline of sea turtles and
Atlantic sturgeon abundance or distribution, it has likely been a contributing factor. No future
actions with effects beyond those already described are reasonably certain to occur in the action
area.
8 JEOPARDY ANALYSIS
The analyses conducted in the previous sections of this Opinion provide the basis on which we
determine whether the proposed action would be likely to jeopardize the continued existence of
green sea turtle, loggerhead sea turtle, and Atlantic sturgeon. In the effect of the action section,
we outlined how the proposed action would affect these species at the individual level and the
magnitude of those effects based on the best available data. Next, we assessed each of these
species' response to the effects of the proposed action in terms of overall population effects and
whether those effects will jeopardize their continued existence in the context of the status of the
species, the environmental baseline, and the cumulative effects.
It is the responsibility of the action agency to "insure that any action authorized, funded, or
carried out by such agency is not likely to jeopardize the continued existence of any endangered
species or threatened species..." (ESA Section 7(a)(2)). Action agencies must consult with and
seek assistance from the NMFS to meet this responsibility. NMFS must ultimately determine in
M.
Total
Species
Relocation Non-
Relocation
Relocation
lethal Take
Lethal Take
Take
Green sea turtle (NA & SA DPS,
combined)
0
0
0
Kemp's ridley sea turtle
0
0
0
Loggerhead sea turtle (NWA DPS)
30
1
31
Atlantic sturgeon (all 5 DPSs,
combined
847
0
847
7 CUMULATIVE EFFECTS
Cumulative effects include the effects of future state, tribal, or local private actions— i.e., that
are not already in the baseline—that are reasonably certain to occur in the action area considered
in this Opinion. Future federal actions that are unrelated to the proposed action are not
considered in this section because they require separate consultation pursuant to Section 7 of the
ESA (50 CFR 402.14). Actions that are reasonably certain to occur would include actions that
have some demonstrable commitment to their implementation, such as funding, contracts,
agreements or plans.
Coastal development, channel dredging, and boating activities have degraded or modified sea
turtle habitats throughout the southeastern United States. Dams, dredging, and poor water
quality have modified and restricted the extent of suitable habitat for Atlantic sturgeon spawning
and nursery habitat. These threats were discussed above for each species. While the degradation
and modification of habitat is not likely the primary reason for the decline of sea turtles and
Atlantic sturgeon abundance or distribution, it has likely been a contributing factor. No future
actions with effects beyond those already described are reasonably certain to occur in the action
area.
8 JEOPARDY ANALYSIS
The analyses conducted in the previous sections of this Opinion provide the basis on which we
determine whether the proposed action would be likely to jeopardize the continued existence of
green sea turtle, loggerhead sea turtle, and Atlantic sturgeon. In the effect of the action section,
we outlined how the proposed action would affect these species at the individual level and the
magnitude of those effects based on the best available data. Next, we assessed each of these
species' response to the effects of the proposed action in terms of overall population effects and
whether those effects will jeopardize their continued existence in the context of the status of the
species, the environmental baseline, and the cumulative effects.
It is the responsibility of the action agency to "insure that any action authorized, funded, or
carried out by such agency is not likely to jeopardize the continued existence of any endangered
species or threatened species..." (ESA Section 7(a)(2)). Action agencies must consult with and
seek assistance from the NMFS to meet this responsibility. NMFS must ultimately determine in
M.
a Biological Opinion whether the action jeopardizes listed species. To jeopardize the continued
existence of is defined as "to engage in an action that reasonably would be expected, directly or
indirectly, to reduce appreciably the likelihood of both the survival and recovery of a listed
species in the wild by reducing the reproduction, numbers, or distribution of that species" (50
CFR 402.02). The following jeopardy analysis first considers the effects of the action to
determine if we would reasonably expect the action to result in reductions in reproduction,
numbers, or distribution of green sea turtle, loggerhead sea turtle, and Atlantic sturgeon. The
analysis next considers whether any such reduction would in turn result in an appreciable
reduction in the likelihood of survival of these species in the wild, and the likelihood of recovery
of these species in the wild.
8.1 Green Sea Turtle (NA and SA DPSs)
As discussed in the effects of the action section, within U.S. waters green sea turtles from both
the NA and SA DPSs can be found on foraging grounds. While there are currently no in-depth
studies available to determine the percent of NA and SA DPS individuals in any given location,
an analysis of green sea turtles on the foraging grounds off Hutchinson Island, Florida (Atlantic
Ocean -side), found approximately 95% of the turtles sampled came from the NA DPS. While is
it highly likely green sea turtles found in or near the action area will be from the NA DPS, we
cannot rule out that they may also be from the SA DPS. Therefore, to analyze effects in a
precautionary manner, we will conduct 2 jeopardy analyses, one for each DPS (i.e., assuming up
to 5% could come from the SA DPS).
8. 1.1 NA DPS
The proposed action may result in the lethal take of up to 6 green sea turtles from the NA DPS
over the 50 -year life of the project. We do not expect any green sea turtles to be captured via
relocation trawling based on the best available data.
8.1.1 a Survival
The lethal take of 6 green sea turtles from the NA DPS by hopper dredging over the 50 -year life
of the project is a reduction in numbers. A lethal take could also result in a potential reduction in
future reproduction, assuming the individual would be female and would have survived to
reproduce in the future. For example, as discussed above, an adult green sea turtle can lay 3-4
clutches of eggs every 2-4 years, with approximately 110-115 eggs/nest, of which a small
percentage is expected to survive to sexual maturity. The anticipated lethal take is expected to
occur in a discrete action area (i.e., where hopper dredging will be occurring) and green sea
turtles in the NA DPS generally have large ranges; thus, no reduction in the distribution is
expected from the take of these individuals.
Whether the reductions in numbers and reproduction of this species would appreciably reduce its
likelihood of survival depends on the probable effect the changes in numbers and reproduction
would have relative to current population sizes and trends. In the Status of Species of this
Opinion, we presented the status of the DPS, outlined threats, and discussed information on
estimates of the number of nesting females and nesting trends at primary nesting beaches. In the
RV
Environmental Baseline, this Opinion outlined the past and present impacts of all state, federal,
or private actions and other human activities in or having effects in the action area that have
affected and continue to affect this DPS. The Cumulative Effects section of this Opinion
discussed the effects of future state, tribal, local, or private actions that are reasonably certain to
occur within the action area.
Seminoff et al. (2015) estimated that there are greater than 167,000 nesting green sea turtle
females in the NA DPS. The nesting at Tortuguero, Costa Rica, accounts for approximately 79%
of that estimate (approximately 131,000 nesters), with Quintana Roo, Mexico, (approximately
18,250 nesters; 11%), and Florida, USA (approximately 8,400 nesters; 5%), also accounting for a
large portion of the overall nesting (Seminoff et al. 2015). At Tortuguero, Costa Rica, the
number of nests laid per year from 1999 to 2010 increased, despite substantial human impacts to
the population at the nesting beach and at foraging areas (Campell and Lagueux 2005; Troeng
1998; Troeng and Rankin 2005). Nesting locations in Mexico along the Yucatan Peninsula also
indicate the number of nests laid each year has deposited, but by 2000 this increased to over
1,500 nests/year (NMFS and USFWS 2007d). By 2012, more than 26,000 nests were counted in
Quintana Roo (J. Zurita, CIQROO, unpubl. data, 2013, in Seminoff et al. 2015). In Florida, most
nesting occurs along the Atlantic coast of eastern central Florida, where a mean of 5,055 nests
were deposited each year from 2001 to 2005 (Meylan et al. 2006) and 10,377 each year from
2008 to 2012 (B. Witherington, FFWCC, pers. comm., 2013). As described in the Section
4.2.1 a, nesting has increased substantially over the last 20 years and peaked in 2015 with 27,975
nests statewide.
In summary, green sea turtle nesting at the primary nesting beaches within the range of the NA
DPS has been increasing over the past 2 decades, against the background of the past and ongoing
human and natural factors (i.e., the environmental baseline) that have contributed to the current
status of the species. We believe these nesting trends are indicative of a species with a high
number of sexually mature individuals. Since the abundance trend information for NA DPS
green sea turtles is clearly increasing, we believe the potential lethal take of 6 green sea turtles
from the NA DPS over the 50 -year life of the project will not have any measurable effect on that
trend. After analyzing the magnitude of the effects of the proposed action, in combination with
the past, present, and future expected impacts to the DPS discussed in this Opinion, we believe
the proposed action is not reasonably expected to cause an appreciable reduction in the
likelihood of survival of the green sea turtle NA DPS in the wild.
8.1.1b Recovery
The NA DPS of green sea turtles does not have a separate recovery plan at this time. However,
an Atlantic Recovery Plan for the population of Atlantic green sea turtles (NMFS and USFWS
1991b) does exist. Since the animals within the NA DPS all occur in the Atlantic Ocean and
would have been subject to the recovery actions described in that plan, we believe it is
appropriate to continue using that Recovery Plan as a guide until a new plan, specific to the NA
DPS, is developed. The Atlantic Recovery Plan lists the following relevant recovery objectives
over a period of 25 continuous years:
Objective: The level of nesting in Florida has increased to an average of 5, 000 nests per year for
at least 6 years.
Objective: A reduction in stage class mortality is reflected in higher counts of individuals on
foraging grounds.
According to data collected from Florida's index nesting beach survey from 1989-2016, green
sea turtle nest counts across Florida have increased approximately ten -fold from a low of 267 in
the early 1990s to a high of 27,975 in 2015 (http://myfwc.com/research/wildlife/sea-
turtles/nesting/green-turtle/; reviewed by consulting biologist on June 28, 2017), indicating that
the first listed recovery objective is currently being met. There are currently no estimates
available specifically addressing changes in abundance of individuals on foraging grounds.
Given the clear increases in nesting, however, it is likely that numbers on foraging grounds have
also increased, consistent with the criteria of the second listed recovery objective.
The potential lethal take of 6 green sea turtles from the NA DPS over the 50 -year life of the
project will result in a reduction in numbers when it occurs, but it is unlikely to have any
detectable influence on the recovery objectives and trends noted above, even when considered in
the context of the of the Status of the Species, the Environmental Baseline, and Cumulative
Effects discussed in this Opinion. Based on the best available data, we do not anticipate any
non -lethal take of NA DPS green sea turtles due to relocation trawling. Thus, the proposed
action will not impede achieving the recovery objectives above and will not result in an
appreciable reduction in the likelihood of NA DPS green sea turtles' recovery in the wild.
8.1.1c Conclusion
The lethal take of green sea turtles from the NA DPS associated with the proposed action are not
expected to cause an appreciable reduction in the likelihood of either the survival or recovery of
the NA DPS of green sea turtle in the wild. We do not expect any green sea turtles to be
captured via relocation trawling based on the best available data.
8.1.2 SA DPS
Until we have an analysis with a larger sample size across more of the Atlantic by the NMFS
Southwest Fisheries Science Center genetics lab and because we do not anticipate any impacts to
nesters or hatchlings, we use 5% as the best estimate of the percent of SA DPS individuals that
could be taken by a project in waters of the Atlantic Ocean. We find that the proposed action
may result in the lethal take of 1 green sea turtle from the SA DPS over the 50 -year life of the
project (6 total lethal takes X 5% = 0.3, rounded up to 1). As stated above, we do not expect any
green sea turtles to be captured via relocation trawling based on the best available data.
8.1.2a Survival
The lethal take of 1 green sea turtle from the SA DPS by hopper dredging is a reduction in
numbers. As discussed above, lethal interactions would also result in a potential reduction in
future reproduction, assuming the individual would be female and would have survived
M.
otherwise to reproduce. While the project will occur over 50 years, the anticipated lethal take is
expected to occur in a discrete action area (i.e., where hopper dredging is occurring) and green
sea turtles in the SA DPS generally have large ranges; thus, no reduction in the distribution is
expected from the take of these individuals.
Whether the reductions in numbers and reproduction of this species would appreciably reduce its
likelihood of survival depends on the probable effect the changes in numbers and reproduction
would have relative to current population sizes and trends. In the Status of Species of this
Opinion, we presented the status of the DPS, outlined threats, and discussed information on
estimates of the number of nesting females and nesting trends at primary nesting beaches. In the
Environmental Baseline, this Opinion considered the past and present impacts of all state,
federal, or private actions and other human activities in or having effects in, the action area that
have affected and continue to affect this DPS. The Cumulative Effects section of this Opinion
considered the effects of future state, tribal, local, or private actions that are reasonably certain to
occur within the action area.
In Section 4.2.1 a, we summarized available information on number of nesters and nesting trends
at SA DPS beaches. Seminoff et al. (2015) estimated that there are greater than 63,000 nesting
females in the SA DPS, though they noted the adult female nesting abundance from 37 beaches
could not be quantified. The nesting at Poildo, Guinea-Bissau, accounted for approximately 46%
of that estimate (approximately 30,000 nesters), with Ascension Island, United Kingdom,
(approximately 13,400 nesters; 21%), and the Galibi Reserve, Suriname (approximately 9,400
nesters; 15%) also accounting for a large portion of the overall nesting (Seminoff et al. 2015).
Seminoff et al. (2015) reported that while trends cannot be estimated for many nesting
populations due to the lack of data, they could discuss possible trends at some of the primary
nesting sites. Seminoff et al. (2015) indicated that the nesting concentration at Ascension Island
(United Kingdom) is one of the largest in the SA DPS and the population has increased
substantially over the last 3 decades (Broderick et al. 2006; Glen et al. 2006). Mortimer and Carr
(1987) counted 5,257 nests in 1977 (about 1,500 females), and 10,764 nests in 1978 (about 3,000
females) whereas from 1999-2004, a total of about 3,500 females nested each year (Broderick et
al. 2006). Since 1977, numbers of nests on 1 of the 2 major nesting beaches, Long Beach, have
increased exponentially from around 1,000 to almost 10,000 (Seminoff et al. 2015). From 2010
to 2012, an average of 23,000 nests per year was laid on Ascension (Seminoff et al. 2015).
Seminoff et al. (2015), caution that while these data are suggestive of an increase, historic data
from additional years are needed to fully substantiate this possibility.
Seminoff et al. (2015) reported that the nesting concentration at Galibi Reserve and Matapica in
Suriname was stable from the 1970s through the 1980s. From 1975-1979, 1,657 females were
counted (Schulz 1982), a number that increased to a mean of 1,740 females from 1983-1987
(Ogren 1989b), and to 1,803 females in 1995 (Weijerman et al. 1998). Since 2000, there appears
to be a rapid increase in nest numbers (Seminoff et al. 2015).
In the Bijagos Archipelago (Poildo, Guinea-Bissau), Parris and Agardy (1993 as cited in Fretey
2001) reported approximately 2,000 nesting females per season from 1990 to 1992, and Catry et
al. (2002) reported approximately 2,500 females nesting during the 2000 season. Given the
:.
typical large annual variability in green sea turtle nesting, Catry et al. (2009) suggested it was
premature to consider there to be a positive trend in Poildo nesting, though others have made
such a conclusion (Broderick et al. 2006). Despite the seeming increase in nesting, interviews
along the coastal areas of Guinea-Bissau generally resulted in the view that sea turtles overall
have decreased noticeably in numbers over the past two decades (Catry et al. 2009). In 2011, a
record estimated 50,000 green sea turtle clutches were laid throughout the Bijagos Archipelago
(Seminoff et al. 2015).
In summary, nesting at the primary nesting beaches for the SA DPS has been increasing over the
past 3 decades, against the background of the past and ongoing human and natural factors (as
contemplated in the Status of the Species and Environmental Baseline sections) that have
contributed to the current status of the species. We believe these nesting trends are indicative of
a species with a high number of sexually mature individuals. Since the abundance trend
information for green sea turtles is clearly increasing, we believe the potential lethal take of 1
green sea turtle from the SA DPS over the 50 -year life of the project will not have any
measurable effect on that trend. After analyzing the magnitude of the effects of the proposed
action, in combination with the past, present, and future expected impacts to the DPS discussed
in this Opinion, we believe the proposed action is not reasonably expected to cause an
appreciable reduction in the likelihood of survival of the green sea turtle SA DPS in the wild.
8.1.2b Recovery
Like the NA DPS, the SA DPS of green sea turtles does not have a separate recovery plan in
place at this time. However, an Atlantic Recovery Plan for the population of Atlantic green sea
turtles (NMFS and USFWS 1991b) does exist. Since the animals within the SA DPS all occur in
the Atlantic Ocean and would have been subject to the recovery actions described in that plan,
we believe it is appropriate to continue using that Recovery Plan as a guide until a new plan,
specific to the SA DPS, is developed. In our analysis for the NA DPS, we stated that the Atlantic
Recovery Plan lists the following relevant recovery objectives over a period of 25 continuous
years:
Objective: The level of nesting in Florida has increased to an average of 5, 000 nests per year for
at least 6 years.
Objective: A reduction in stage class mortality is reflected in higher counts of individuals on
foraging grounds.
The nesting recovery objective is specific to the NA DPS, but demonstrates the importance of
increases in nesting to recovery. As previously stated, nesting at the primary SA DPS nesting
beaches has been increasing over the past 3 decades. There are currently no estimates available
specifically addressing changes in abundance of individuals on foraging grounds. Given the
clear increases in nesting and in -water abundance, however, it is likely that numbers on foraging
grounds have increased.
The potential lethal take of 1 green sea turtle from the SA DPS over the 50 -year life of the
project will result in a reduction in numbers when it occurs, but it is unlikely to have any
M.
detectable influence on the trends noted above, even when considered in context with the Status
of the Species, the Environmental Baseline, and Cumulative Effects discussed in this Opinion.
Based on the best available data, we do not anticipate any non -lethal take of NA DPS green sea
turtles due to relocation trawling. Thus, the proposed action will not impede achieving the
recovery objectives above and will not result in an appreciable reduction in the likelihood of the
SA DPS of green sea turtles' recovery in the wild.
8.1.2c Conclusion
The potential lethal take of 1 SA DPS green sea turtle associated with the proposed action is not
expected to cause an appreciable reduction in the likelihood of either the survival or recovery of
the SA DPS of green sea turtle in the wild. We do not expect any green sea turtles to be captured
via relocation trawling based on the best available data.
8.2 Kemp's ridley Sea Turtle
The proposed action may result in the take of up to 8 Kemp's ridley sea turtles over the 50 -year
life of the project (8 lethal from hopper dredging). We do not expect any Kemp's ridley turtles
to be captured via relocation trawling based on the best available data.
8.2.1 Survival
The potential lethal take of up to 8 Kemp's ridley sea turtle over the 50 -year life of the project
would reduce the species' population compared to the number that would have been present in
the absence of the proposed action, assuming all other variables remained the same. The Turtle
Expert Working Group (TEWG 1998b) estimates age at maturity from 7-15 years. Females
return to their nesting beach about every 2 years (TEWG 1998b). The mean clutch size for
Kemp's ridley sea turtle is 100 eggs/nest, with an average of 2.5 nests/female/season. Lethal
takes could also result in a potential reduction in future reproduction, assuming at least one of
these individuals would be female and would have survived to reproduce in the future. The loss
of 8 Kemp's ridley sea turtle could preclude the production of thousands of eggs and hatchlings,
of which a fractional percentage would be expected to survive to sexual maturity. Thus, the
death of any females would eliminate their contribution to future generations, and result in a
reduction in sea turtle reproduction. The anticipated lethal takes are expected to occur in a small,
discrete action area (i.e., where hopper dredging is occurring) and Kemp's ridley sea turtle
generally have large ranges; thus, no reduction in the distribution is expected from the take of
these individuals.
In the absence of any total population estimates for Kemp's ridley sea turtle, nesting trends are
the best proxy for estimating population changes. Following a significant, unexplained 1 -year
decline in 2010, Kemp's ridley sea turtle nests in Mexico reached a record high of 21,797 in
2012 (Gladys Porter Zoo nesting database 2013). There was a second significant decline in
Mexico nests 2013 through 2014; however, nesting in Mexico has increased 2015 through 2017
(Gladys Porter Zoo 2016).
A small nesting population is also emerging in the United States, primarily in Texas, rising from
6 nests in 1996 to 42 in 2004, to a record high of 353 nests in 2017 (National Park Service data,
http://www.nps.gov/pais/naturescience/stip.htm, http://www.nps.gov/pais/naturescience/current-
season.htm). It is worth noting that nesting in Texas has paralleled the trends observed in
Mexico, characterized by a significant decline in 2010, followed by a second decline in 2013-
2014, but with a rebound in 2015-2017.
It is important to remember that with significant inter -annual variation in nesting data, sea turtle
population trends necessarily are measured over decades and the long-term trend line better
reflects the population increase in Kemp's ridleys. With the recent increase in nesting data
(2015-16) and recent declining numbers of nesting females (2013-14), it is too early to tell
whether the long-term trend line is affected. Nonetheless, long-term data from 1990 to present
continue to support that Kemp's ridley sea turtle is increasing in population size.
We believe this long-term increasing trend in nesting is evidence of an increasing population, as
well as a population that is maintaining (and potentially increasing) its genetic diversity. We
believe these nesting trends are indicative of a species with a high number of sexually mature
individuals. Since the abundance trend information is clearly increasing, we believe the potential
lethal take of 8 Kemp's ridley sea turtles over the 50 -year life of the project attributed to the
proposed action will not have any measurable effect on that trend. After analyzing the
magnitude of the effects of the proposed action, in combination with the past, present, and future
expected impacts to the DPS discussed in this Opinion, we believe the proposed action is not
reasonably expected to cause an appreciable reduction in the likelihood of survival of Kemp's
ridley sea turtles in the wild.
8.2.2 Recovery
As to whether the proposed action will appreciably reduce the species' likelihood of recovery,
the recovery plan for the Kemp's ridley sea turtle (NMFS et al. 201 lb) lists the following
relevant recovery objective:
Objective: A population of at least 10, 000 nesting females in a season (as measured by clutch
frequency/female/season) distributed at the primary nesting beaches (Rancho Nuevo,
Tepehuajes, and Playa Dos) in Mexico is attained. Methodology and capacity to implement and
ensure accurate nesting female counts have been developed.
The recovery plan states the average number of nests per female is 2.5; it sets a recovery goal of
10,000 nesting females associated with 25,000 nests. The 2012 nesting season recorded
approximately 22,000 nests. Yet, in 2013 through 2014, there was a second significant decline,
with only 16,385 and 11,279 nests recorded, respectively, which would equate to 6,554 nesting
females in 2013 (16,385 / 2.5) and 4,512 in 2014 (11,279 / 2.5). Nest counts increased in the last
three years, but they did not reach 25,000 by 2017; however, it is clear that the population has
increased over the last 2 decades. The increase in Kemp's ridley sea turtle nesting is likely due
to a combination of management measures including elimination of direct harvest, nest
protection, the use of TEDs, reduced trawling effort in Mexico and the United States, and
possibly other changes in vital rates (TEWG 1998a; TEWG 2000).
The lethal take of up to 8 Kemp's ridley sea turtles over the 50 -year life of the project will result
in a reduction in numbers and reproduction, but it is unlikely to have any detectable influence on
the nesting trends noted above. Given a nesting population in the thousands, the projected loss is
not expected to have any discernable impact to the species.
8.2.3 Conclusion
The lethal take of 8 Kemp's ridley sea turtles associated with the proposed action are not
expected to cause an appreciable reduction in the likelihood of either the survival or recovery of
Kemp's ridley sea turtle in the wild. We do not expect any Kemps' ridley sea turtles to be
captured via relocation trawling based on the best available data.
8.3 Loggerhead Sea Turtle (NWA DPS)
The proposed action may result in the take of 77 loggerhead sea turtles from the NWA DPS over
the 50 -year life of the project (30 non -lethal [from relocation trawling], 47 lethal [46 from
hopper dredging, 1 from relocation trawling]).
8.3.1 Survival
Generally, we assume that one clutch of eggs (one nest) is lost for each adult female that is
relocated during nesting season; however, hopper dredging (and thus, relocation trawling) will
avoid the North Carolina sea turtle nesting and hatching season. Thus, the potential non -lethal
relocation of 30 loggerhead sea turtles from the NWA DPS over the 50 -year life of the project is
not expected to have any measurable impact on the overall population and reproduction due to
the potential loss of clutches. Sea turtles captured in the trawling efforts will be released in
nearby areas soon after capture. Interactions with vessels and/or relocation trawlers may elicit
startle or avoidance responses and the effects of the proposed action may result in temporary
changes in behavior of sea turtles (minutes to hours) over small areas, but are not expected to
change the distribution of any sea turtles in the action area. The lack of any lasting impact to
animals encountered in relocation trawls indicates that the activity is not likely to have any effect
on the species' reproduction or population numbers. Additionally, given the wide spread
distribution of loggerhead sea turtles, and the fact that these animals have large ranges, the
capture and release of sea turtles in nearby areas is not expected to have any effect on loggerhead
sea turtle (NWA DPS) distribution.
The lethal take of 47 loggerhead sea turtles over the 50 -year life of the project (46 by hopper
dredging, 1 by relocation trawling) is a reduction in numbers. A lethal take could also result in a
potential reduction in future reproduction, assuming the individual would be female and would
have survived to reproduce in the future. For example, an adult female loggerhead sea turtle can
lay approximately 4 clutches of eggs every 3 years, with 100-126 eggs per clutch. Thus, the loss
of 1 adult female could preclude the production of thousands of eggs and hatchlings of which a
small percentage would be expected to survive to sexual maturity. To be conservative, we
assume that all the loggerhead sea turtles that will be taken by hopper dredge will be adult
females, with a higher potential impact on the species relative to take of other stages. However,
a reduction in the distribution of loggerhead sea turtles is not expected from lethal takes
r•1
attributed to the proposed action. The anticipated lethal take is expected to occur in a discrete
action area (i.e., where hopper dredging will be occurring) and loggerhead sea turtles in the
NWA DPS generally have large ranges; thus, no reduction in the distribution is expected from
the take of these individuals.
Whether or not the reductions in loggerhead sea turtle numbers and reproduction attributed to the
proposed action would appreciably reduce the likelihood of survival depends on what effect
these reductions in numbers and reproduction would have on overall population sizes and trends
(i.e., whether the estimated reductions, when viewed within the context of the environmental
baseline and status of the species, are of such an extent that adverse effects on population
dynamics are appreciable). In Section 4.2.1 c, we reviewed the status of this species in terms of
nesting and female population trends and several recent assessments based on population
modeling (i.e., Conant et al. 2009b; NMFS-SEFSC 2009b). Below we synthesize what that
information means both in general terms and the more specific context of the proposed action.
Loggerhead sea turtles are a slow growing, late -maturing species. Because of their longevity,
loggerhead sea turtles require high survival rates throughout their life to maintain a population.
In other words, late -maturing species cannot tolerate much anthropogenic mortality without
going into decline. Conant et al. (2009b) concluded loggerhead natural growth rates are small,
natural survival needs to be high, and even low- to moderate mortality can drive the population
into decline. Because recruitment to the adult population is slow, population modeling studies
suggest even small increased mortality rates in adults and subadults could substantially impact
population numbers and viability (Chaloupka and Musick 1997b; Crouse et al. 1987; Crowder et
al. 1994; Heppell et al. 1995).
NMFS-SEFSC (2009b) estimated the minimum adult female population size for the NWA DPS
in the 2004-2008 timeframe to likely be between approximately 20,000-40,000 individuals
(median 30,050), with a low likelihood of being as many as 70,000 individuals. Another
estimate for the entire western North Atlantic population was a mean of 38,334 adult females
using data from 2001-2010 (Richards et al. 2011). A much less robust estimate for total benthic
females in the western North Atlantic was also obtained, with a likely range of approximately
30,000-300,000 individuals, up to less than 1 million.
SEFSC (2011) preliminarily estimated the loggerhead population in the Northwestern Atlantic
Ocean along the continental shelf of the Eastern Seaboard during the summer of 2010 at 588,439
individuals (estimate ranged from 381,941 to 817,023) based on positively identified individuals.
The NMFS-NEFSC's point estimate increased to approximately 801,000 individuals when
including data on unidentified sea turtles that were likely loggerheads. The NMFS-NEFSC
(2011) underestimates the total population of loggerheads since it did not include Florida's east
coast south of Cape Canaveral or the Gulf of Mexico, which are areas where large numbers of
loggerheads are also expected. In other words, it provides an estimate of a subset of the entire
population.
Florida accounts for more than 90% of U.S. loggerhead nesting. The Florida Fish and Wildlife
Conservation Commission conducted a detailed analysis of Florida's long-term loggerhead
nesting data (1989-2016). They indicated that following a 24% increase in nesting between 1989
WV
and 1998, nest counts declined sharply from 1999 to 2007. However, annual nest counts showed
a strong increase (71%) from 2008 to 2016. Examining only the period between the high -count
nesting season in 1998 and the 2016 nesting season, researchers found a slight but insignificant
increase, indicating a reversal of the post -1998 decline. The overall change in counts from 1989
to 2016 was significantly positive; however, it should be noted that wide confidence intervals are
associated with this complex data set (http://myfwc.com/research/wildlife/sea-
turtles/nesting/loggerhead-trends/).
Abundance estimates accounting for only a subset of the entire loggerhead sea turtle population
in the western North Atlantic indicate the population is large (i.e., several hundred thousand
individuals). Nesting trends have been significantly increasing over several years against the
background of the past and ongoing human and natural factors (as contemplated in the Status of
the Species and Environmental Baseline) that have contributed to the current status of the
species. Additionally, our estimate of future captures is not a new source of impacts on the
species. The same or a similar level of captures has occurred in the past, yet we have still seen
positive trends in the status of this species.
The proposed action could lethally take 47 loggerhead sea turtles over the 50 -year life of the
project. We do not expect this loss to result in a detectable change to the population numbers or
increasing trends. The non -lethal capture of 30 loggerhead sea turtles over the 50 -year life of the
project would not affect the adult female nesting population or number of nests per nesting
season, particularly because the proposed action will occur outside of sea turtle nesting season.
After analyzing the magnitude of the effects of the proposed action, in combination with the past,
present, and future expected impacts to the DPS discussed in this Opinion, we believe the
proposed action is not reasonably expected to cause an appreciable reduction in the likelihood of
survival of the loggerhead sea turtle NWA DPS in the wild.
8.3.2 Recovery
The loggerhead recovery plan defines the recovery goal as "...ensur[ing] that each recovery unit
meets its Recovery Criteria alleviating threats to the species so that protection under the ESA is
no longer necessary" (NMFS and USFWS 2008c). The plan then identifies 13 recovery
objectives needed to achieve that goal. We do not believe the proposed action impedes the
progress of the recovery program or achieving the overall recovery strategy.
The recovery plan for the Northwest Atlantic population of loggerhead sea turtles (NMFS and
USFWS 2009) lists the following recovery objectives that are relevant to the effects of the
proposed action:
Objective: Ensure that the number of nests in each recovery unit is increasing and that this
increase corresponds to an increase in the number of nesting females
Objective: Ensure the in -water abundance of juveniles in both neritic and oceanic habitats is
increasing and is increasing at a greater rate than strandings of similar age classes
WON
Recovery is the process of removing threats so self-sustaining populations persist in the wild.
The proposed action would not impede progress on carrying out any aspect of the recovery
program or achieving the overall recovery strategy. The recovery plan estimates that the
population will reach recovery in 50-150 years following implementation of recovery actions.
The minimum end of the range assumes a rapid reversal of the current declining trends; the
higher end assumes that additional time will be needed for recovery actions to bring about
population growth.
Nesting trends have been increasing over several years. As noted previously, we believe the
future takes predicted will be similar to the levels of take that has occurred in the past and those
past takes did not impede the positive trends we are currently seeing in nesting during that time.
We also indicated that the lethal take of 47 loggerhead sea turtles over the 50 -year life of the
project is so small in relation to the overall population, that it would not impede achieving
recovery objectives, even when considered in the context of the Status of the Species, the
Environmental Baseline, and Cumulative Effects discussed in this Opinion. We believe this is
true for both nesting and juvenile in -water populations. For these reasons, we do not believe the
proposed action will impede achieving the recovery objectives or overall recovery strategy.
8.3.3 Conclusion
The lethal and non -lethal take of loggerhead sea turtles associated with the proposed action are
not expected to cause an appreciable reduction in the likelihood of either the survival or recovery
of the NWA DPS of the loggerhead sea turtle in the wild.
8.4 Atlantic Sturgeon (All 5 DPSs)
Five DPSs of Atlantic sturgeon are listed under the ESA, 4 as endangered and 1 as threatened.
Because Atlantic sturgeon mix extensively in the marine waters, individuals from all 5 DPSs
could occur in action area. The proposed action may result in the take of 869 Atlantic sturgeon
from any DPS over the 50 -year life of the project (847 non -lethal from relocation trawling and
22 lethal from hopper dredging).
Because subadult and adult Atlantic sturgeon mix extensively in the marine and estuarine
environments, individuals from all 5 Atlantic sturgeon DPSs could occur within the action area.
Therefore, we must determine from which DPSs the takes will occur. Unfortunately, data is
quite limited regarding the distributions of Atlantic sturgeon DPSs when mixed in marine or
estuarine waters. To date, there is only 1 report available which examines the distributions of the
individual DPSs in offshore environments — NMFS's Greater Atlantic Regional Fisheries Office
(GARFO) PRD's Mixed Stock Analysis (MSA) (Damon -Randall et al. 2013). The report is an
analysis of the composition of Atlantic sturgeon stocks along the East Coast, using tag -recapture
data and genetic samples that identify captured fish back to their DPS of origin. Atlantic
sturgeon can be assigned to their DPS based on genetic analyses with 92-96% accuracy (ASSRT
and NMFS 2007), though some fish used in the MSA could not be assigned to a DPS. Data from
NEFOP and the At Sea Monitoring (ASM) programs were used in the MSA to determine the
percentage of fish from each of the DPSs at the selected locations along the coast. This report is
the best available information, and we will use this to assign the Atlantic sturgeon takes to the 5
W&
DPSs.
Damon -Randall et al. (2013) reported the composition of Atlantic sturgeon residing in the
Carolinian marine ecoregion, which extends from Cape Hatteras, North Carolina, south to Cape
Canaveral, Florida (http://www.marineregions.org/gazetteer.php?p=details&id=22003), as a
range around a mean value, with a 5% confidence interval on either side. The mean composition
point estimates are listed below with each respective range in parenthesis:
• 1% St. John (0-6%)
• 11% Gulf of Maine (6-16%)
• 51% New York Bight (46-56%)
• 13% Chesapeake Bay (8-18%)
• 2% Carolina (0-7%)
• 22% South Atlantic (17-27%)
It is important to note that we estimate a few Atlantic sturgeon takes are likely from the
population in St. John, Canada. Since these animals are from a population outside the United
States that was not listed under the ESA, we do not consider the take of these animals in this
Opinion. Removing the contribution of those fish means that the average composition numbers
below do not sum to 100; however, it does not change our analysis because the percentage
contribution of that population is negligible.
Table 18 shows the breakdown of anticipated lethal take by DPS over the 50 -year life of the
project given the above percent compositions in the Carolinian marine ecoregion.
Table 18. Anticipated Take by DPS Over the 50 -year Life of the Project
8.4.1 Survival
A conservative approach assumes that all lethal captures would occur in any one year of the 50 -
year project. A worst-case scenario assumes all lethal capture would occur in the first year of the
50 -year project. Thus, if all lethal captures happened in the first year, the reduction in the total
population of each DPS would range from 0.03% to 0.07% (Table 19).
Total
Anticipated
Percent Composition
Take by DPS
DPS
Lethal Take
in Carolinian Marine
(rounded up to nearest
(All DPSs
Ecoregion
whole number)
combined
South Atlantic
22
22%
5
Carolina
22
2%
1
Chesapeake Bay
22
13%
3
New York Bight
22
51%
12
Gulf of Maine
22
11%
3
8.4.1 Survival
A conservative approach assumes that all lethal captures would occur in any one year of the 50 -
year project. A worst-case scenario assumes all lethal capture would occur in the first year of the
50 -year project. Thus, if all lethal captures happened in the first year, the reduction in the total
population of each DPS would range from 0.03% to 0.07% (Table 19).
Table 19. Percentage of Take by DPS for the Ocean Population of Atlantic Sturgeon
Assuming the Total Lethal Take in Any 1 Year
All of these values are far below the estimated 5% mortality rate Boreman (1997) believed a
sturgeon population could likely withstand annually and not decline. Therefore, although the
potential lethal take of Atlantic sturgeon in any 1 year (as stated in Table 18 & 19) will cause a
reduction in numbers of each of the DPSs, we do not believe this reduction will appreciably
reduce the likelihood that any of the 5 DPSs will survive in the wild.
For each of the 5 DPSs to remain stable over generations, a certain amount of spawning must
occur to offset the deaths within the population. We measure spawning potential in 2 ways:
spawning stock biomass per recruit (SSB/R) and eggs per recruit (EPR). EPR., refers to the
maximum number of eggs produced by a female Atlantic sturgeon over the course of its lifetime
assuming no fishing mortality. Similarly, SSB/Rmax is the expected contribution an adult
individual would make during its lifetime to the total weight of the fish in a stock that is old
enough to spawn, assuming no fishing mortality. In both cases, as fishing mortality increases,
the expected lifetime production of an adult individual decreases from the theoretical maximum
(i.e., SSB/Rmax or EPRmax) due to an increased probability the animal will be caught and
therefore unable to achieve its maximum potential. Since the EPRmax or SSB/Rmax for each adult
within a population is the same, it is appropriate to talk about these parameters not only for
individuals but for populations as well. Goodyear (1993) suggested that maintaining a SSB/R of
at least 20% of SSB/Rmax would allow a population to remain stable (i.e., retain the capacity for
survival). Boreman (1997) indicated that since stock biomass and egg production are typically
linearly correlated (i.e., larger females generally produce more eggs than smaller females) it is
appropriate to apply the 20% Goodyear (1993) threshold directly to EPR estimates. Boreman
(1997) reported adult female Atlantic sturgeon in the Hudson River could have likely sustained a
fishing mortality rate of 14% and still retained enough spawners for the population to maintain
an EPR of at least 20% of EPRmax (i.e., to remain stable). We believe evaluating the total lethal
take of the proposed action against the fishing mortality associated with maintaining an EPR of
at least 20% of EPRmax (i.e., fishing mortality = 14%) is the appropriate approach for evaluating
the potential impacts of the proposed action on the likelihood any of the DPSs will survive in the
wild. For this analysis, we assume that all the Atlantic sturgeon that will be lethally taken by
hopper dredge will be spawning adults, which has a higher potential for impact on the population
relative to take of other stages. While this assumption is highly unlikely, it is the approach most
conservative to each of the DPSs. Thus, if all lethal captures happened in any one year, the
reduction in the population of spawning adults in each DPS would range from 0.16% to 0.29%
(Table 20).
Anticipated
Estimated Ocean
Take Total
DPS
Lethal Take by
Population Abundance
Population (/o)
t
DPS
from Table 9
South Atlantic
5
14,911
0.03
Carolina
1
1,356
0.07
Chesapeake Bay
5
8,811
0.03
New York Bight
12
34,566
0.03
Gulf of Maine
3
7,455
0.04
All of these values are far below the estimated 5% mortality rate Boreman (1997) believed a
sturgeon population could likely withstand annually and not decline. Therefore, although the
potential lethal take of Atlantic sturgeon in any 1 year (as stated in Table 18 & 19) will cause a
reduction in numbers of each of the DPSs, we do not believe this reduction will appreciably
reduce the likelihood that any of the 5 DPSs will survive in the wild.
For each of the 5 DPSs to remain stable over generations, a certain amount of spawning must
occur to offset the deaths within the population. We measure spawning potential in 2 ways:
spawning stock biomass per recruit (SSB/R) and eggs per recruit (EPR). EPR., refers to the
maximum number of eggs produced by a female Atlantic sturgeon over the course of its lifetime
assuming no fishing mortality. Similarly, SSB/Rmax is the expected contribution an adult
individual would make during its lifetime to the total weight of the fish in a stock that is old
enough to spawn, assuming no fishing mortality. In both cases, as fishing mortality increases,
the expected lifetime production of an adult individual decreases from the theoretical maximum
(i.e., SSB/Rmax or EPRmax) due to an increased probability the animal will be caught and
therefore unable to achieve its maximum potential. Since the EPRmax or SSB/Rmax for each adult
within a population is the same, it is appropriate to talk about these parameters not only for
individuals but for populations as well. Goodyear (1993) suggested that maintaining a SSB/R of
at least 20% of SSB/Rmax would allow a population to remain stable (i.e., retain the capacity for
survival). Boreman (1997) indicated that since stock biomass and egg production are typically
linearly correlated (i.e., larger females generally produce more eggs than smaller females) it is
appropriate to apply the 20% Goodyear (1993) threshold directly to EPR estimates. Boreman
(1997) reported adult female Atlantic sturgeon in the Hudson River could have likely sustained a
fishing mortality rate of 14% and still retained enough spawners for the population to maintain
an EPR of at least 20% of EPRmax (i.e., to remain stable). We believe evaluating the total lethal
take of the proposed action against the fishing mortality associated with maintaining an EPR of
at least 20% of EPRmax (i.e., fishing mortality = 14%) is the appropriate approach for evaluating
the potential impacts of the proposed action on the likelihood any of the DPSs will survive in the
wild. For this analysis, we assume that all the Atlantic sturgeon that will be lethally taken by
hopper dredge will be spawning adults, which has a higher potential for impact on the population
relative to take of other stages. While this assumption is highly unlikely, it is the approach most
conservative to each of the DPSs. Thus, if all lethal captures happened in any one year, the
reduction in the population of spawning adults in each DPS would range from 0.16% to 0.29%
(Table 20).
Table 20. Percentage of Lethal Take by DPS for the Ocean Population of Adult Atlantic
Sturgeon Assuming the Total Lethal Take in Anv 1 Year
All of these values are far below the 14% fishing mortality threshold suggested by Boreman
(1997) that would allow a population to remain stable. Additionally, the anticipated lethal take
of Atlantic sturgeon associated with the proposed action, over the 50 -year life of the project, is
expected to occur in a discrete action area in the marine environment (i.e., where hopper
dredging will be occurring) where all DPSs mix extensively. Because Atlantic sturgeon
generally have large ranges, no reduction in the distribution of any of the DPSs is expected from
the lethal take of these individuals. Therefore, although the potential lethal take Atlantic
sturgeon associated with the proposed action will cause a reduction in numbers of reproducing
individuals in that DPS, we do not believe this reduction will appreciably reduce the likelihood
that any of the 5 DPSs will survive in the wild. The non -lethal take of 847 Atlantic sturgeon by
relocation trawling is not expected to have any measurable impact on the reproduction, numbers,
or distribution of animals from any of the 5 DPSs because the individuals captured and released
are expected to fully recover, and individuals will be released in proximity to where they were
captured. We therefore believe the proposed action is not reasonably expected to cause an
appreciable reduction in the likelihood of survival of any of the 5 DPSs in the wild.
8.4.2 Recovery
A recovery plan for Atlantic sturgeon has not yet been developed any DPS; however, the first
step in recovering a species is to reduce identified threats; only by alleviating threats can lasting
recovery be achieved. An increase in the population to a size that maintains a steady recruitment
of individuals representing all life stages would provide population stability and enable the
population to sustain itself even in the event of unforeseen and unavoidable impacts. The major
threats affecting the 5 Atlantic sturgeon DPSs were summarized in the final listing rules and
include: dams, dredging, water quality, climate change, and overutilization for commercial
purposes. While the proposed action includes dredging, which is considered one of the major
threats to Atlantic sturgeon, we believe relocation trawling will reduce the overall level of lethal
take associated with the proposed project, providing clear conservation benefit to the species
when compared to hopper dredging without relocation trawling. We do not believe the proposed
action will affect the recovery of any Atlantic sturgeon DPS, by exacerbating effects of any of
the major threats identified in the final listing rules. The lethal take of Atlantic sturgeon over the
50 -year life of the project is not likely to appreciably reduce population numbers of any DPS
over time due to current population sizes and expected recruitment. Therefore, we conclude the
proposed action will not appreciably diminish the likelihood of recovery for any of the 5 DPSs of
Atlantic sturgeon.
"Wo
Anticipated
Estimated Ocean
DPS
Lethal Take by
Population of Adults
Take of Adult
DPS
from Table 9
Population (/o)
South Atlantic
5
3,728
0.13
Carolina
1
339
0.29
Chesapeake Bay
5
2,203
0.14
New York Bight
12
8,642
0.14
Gulf of Maine
3
1,864
0.16
All of these values are far below the 14% fishing mortality threshold suggested by Boreman
(1997) that would allow a population to remain stable. Additionally, the anticipated lethal take
of Atlantic sturgeon associated with the proposed action, over the 50 -year life of the project, is
expected to occur in a discrete action area in the marine environment (i.e., where hopper
dredging will be occurring) where all DPSs mix extensively. Because Atlantic sturgeon
generally have large ranges, no reduction in the distribution of any of the DPSs is expected from
the lethal take of these individuals. Therefore, although the potential lethal take Atlantic
sturgeon associated with the proposed action will cause a reduction in numbers of reproducing
individuals in that DPS, we do not believe this reduction will appreciably reduce the likelihood
that any of the 5 DPSs will survive in the wild. The non -lethal take of 847 Atlantic sturgeon by
relocation trawling is not expected to have any measurable impact on the reproduction, numbers,
or distribution of animals from any of the 5 DPSs because the individuals captured and released
are expected to fully recover, and individuals will be released in proximity to where they were
captured. We therefore believe the proposed action is not reasonably expected to cause an
appreciable reduction in the likelihood of survival of any of the 5 DPSs in the wild.
8.4.2 Recovery
A recovery plan for Atlantic sturgeon has not yet been developed any DPS; however, the first
step in recovering a species is to reduce identified threats; only by alleviating threats can lasting
recovery be achieved. An increase in the population to a size that maintains a steady recruitment
of individuals representing all life stages would provide population stability and enable the
population to sustain itself even in the event of unforeseen and unavoidable impacts. The major
threats affecting the 5 Atlantic sturgeon DPSs were summarized in the final listing rules and
include: dams, dredging, water quality, climate change, and overutilization for commercial
purposes. While the proposed action includes dredging, which is considered one of the major
threats to Atlantic sturgeon, we believe relocation trawling will reduce the overall level of lethal
take associated with the proposed project, providing clear conservation benefit to the species
when compared to hopper dredging without relocation trawling. We do not believe the proposed
action will affect the recovery of any Atlantic sturgeon DPS, by exacerbating effects of any of
the major threats identified in the final listing rules. The lethal take of Atlantic sturgeon over the
50 -year life of the project is not likely to appreciably reduce population numbers of any DPS
over time due to current population sizes and expected recruitment. Therefore, we conclude the
proposed action will not appreciably diminish the likelihood of recovery for any of the 5 DPSs of
Atlantic sturgeon.
"Wo
8.4.2 Conclusion
The lethal and nonlethal take of Atlantic sturgeon associated with the proposed action is not
expected to cause an appreciable reduction in the likelihood of either the survival or recovery of
any of the 5 Atlantic sturgeon DPSs in the wild.
9 CONCLUSION
Using the best available data, we analyzed the effects of the proposed action in the context of the
status of the species, the environmental baseline, and cumulative effects and we determined that
the proposed action is not likely to jeopardize the continued existence of green sea turtle (NA or
SA DPS), loggerhead sea turtle (NWA DPS), and Atlantic sturgeon (all 5 DPSs). These analyses
focused on the impacts to, and population responses of, these species. Because the proposed
action will not appreciably reduce the likelihood of survival and recovery of these species, it is
our Opinion that the proposed action is also not likely to jeopardize the continued existence of
any of these species.
10 INCIDENTAL TAKE STATEMENT
Section 9 of the ESA and federal regulation pursuant to Section 4(d) of the ESA prohibit take of
endangered and threatened species, respectively, without special exemption. Take is defined as
to harass, harm, pursue, hunt, shoot, wound, kill, trap, capture or collect, or to attempt to engage
in any such conduct. Incidental take is defined as take that is incidental to, and not the purpose
of, the carrying out of an otherwise lawful activity. Under the terms of Section 7(b)(4) and
Section 7(o)(2), taking that is incidental to and not intended as part of the agency action is not
considered to be prohibited taking under the ESA provided that such taking is in compliance
with the terms and conditions of this Incidental Take Statement (ITS). NMFS must estimate the
extent of take expected to occur from implementation of the proposed action to frame the limits
of the take exemption provided in the Incidental Take Statement. These limits set thresholds
that, if exceeded, would be the basis for reinitiating consultation. Per the Terms and Conditions,
the USACE will notify NMFS when 75% of any of the observed 50 -year take limits are reached
to discuss if reinitiation is necessary. The following section describes the extent of take that
NMFS anticipates will occur as a result of the proposed action.
NMFS anticipates the total lethal take (observed plus unobserved) over the 50 -year life of the
project will consist of up to 6 green sea turtles (NA and SA DPSs combined) (6 from hopper
dredging, 0 from relocation trawling), 8 Kemp's ridley sea turtles (8 from hopper dredging, 0
from relocation trawling), 47 loggerhead sea turtles (NWA DPS) (46 from hopper dredging and
I from relocation trawl), and 22 Atlantic sturgeon (All 5 DPSs combined) (from hopper
dredging). NMFS also anticipates the non -lethal incidental take, by relocation trawling, of up to
30 loggerhead sea turtles and 847 Atlantic sturgeon over the 50 -year life of the project. Based on
the best available data, we do not anticipate any non -lethal take of green or Kemp's ridley sea
turtles.
As discussed above, we believe only half of the takes associated with hopper dredging will be
observed because unexploded ordinance screens will not be used. Therefore, take exceedance
7i]
shall be accounted for based on observed takes. We believe all the lethal and non -lethal takes
associated with relocation trawling will be observed. The ITS statement for the 50 -year life of
the project is located in Table 21.
Table 21. Incidental Take Statement over the 50 -Year Life of the Project
Species
Observed Lethal Take
Observed Non -lethal
Take
Green sea turtle (NA and SA DPSs
3
0
combined)
(all hopper dredging)
Kemp's ridley sea turtle
(all hopper dredging)
0
24
30
Loggerhead sea turtle (NWA DPS)
(23 hopper dredging, 1
(all relocation trawling)
relocation trawl)
Atlantic sturgeon (All 5 DPSs
11
847
combined)
(all hopper dredging)
(all relocation trawling)
11 REASONABLE AND PRUDENT MEASURES
Section 7(b)(4) of the ESA requires NMFS to issue a statement specifying the impact of any
incidental take on listed species, which results from an agency action otherwise found to comply
with Section 7(a)(2) of the ESA. It also states the reasonable and prudent measures (RPMs)
necessary to minimize the impacts of take and the terms and conditions (T&Cs) to implement
those measures, must be provided and must be followed to minimize those impacts. Only
incidental take by the federal agency that complies with the specified T&Cs is authorized.
The RPMs and T&Cs are specified as required, by 50 CFR 402.01(i)(1)(ii) and (iv), to document
the incidental take by the proposed action and to minimize the impact of that take on ESA -listed
species. These RPMs and T&Cs are nondiscretionary, and must be implemented by the USACE
and BOEM in order for the protection of Section 7(o)(2) to apply. The USACE and BOEM have
a continuing duty to regulate the activity covered by this incidental take statement. If the
USACE or BOEM fail to adhere to the T&Cs through enforceable terms, and/or fails to retain
oversight to ensure compliance with these T&Cs, the protective coverage of Section 7(o)(2) may
lapse.
NMFS has determined that the following RPMs must be implemented by the USACE and
BOEM (directly or through mandatory conditions of its authorization for the action):
The USACE and BOEM will have measures in place to monitor and report all interactions
with any protected species resulting from the proposed action.
2. Relocation trawling will be employed when water temperatures exceed 57°F (13.8°C)
beginning 24 hours prior to hopper dredging. Regardless of water temperature, if 1 sea turtle
or sturgeon species is taken by a hopper dredge, trawlers will mobilize within 72 hours and
24-hour trawling will commence. If a second sea turtle or sturgeon species is taken during
the 72 -hour mobilization period, dredging will cease until relocation trawling can begin. The
.':
applicant may choose to employ relocation trawling prior to meeting the temperature or take
trigger; however, voluntary relocation trawling does not change the number of allowable take
in this Opinion.
3. The USACE and BOEM shall implement best management practices, including the use sea
turtle deflector dragheads, intake, and overflow screening to reduce the risk of injury or
mortality of listed species and lessen the number of sea turtles killed by the proposed action.
4. The USACE and BOEM will require NMFS-approved observers to monitor dredged material
inflow and overflow screening baskets on the hopper dredge.
12 TERMS AND CONDITIONS
In order to be exempt from the prohibitions of Section 9 of the ESA, the USACE, BOEM, and/or
the County are required to comply with the T&Cs that implement the RPMs. The following
T&Cs are nondiscretionary. The USACE and BOEM shall condition the County to require the
following terms and conditions to minimize the effects of take on green sea turtle, Kemps' ridley
sea turtle, loggerhead sea turtle, and Atlantic sturgeon:
1. An annual project report summarizing the results of the dredging, the relocation trawling (if
any), and the take (if any) must be submitted to NMFS within 30 working days of completion
of that year's activities (RPM 1).
a. Annual reports shall contain information on project location, start-up and
completion dates, cubic yards of material dredged, problems encountered,
incidental takes (include photographs, if available), sightings of protected species,
mitigating actions taken (if relocation trawling, the total number of tows, location
of capture/release, and number and species of turtles and sturgeon relocated),
screening type (inflow, overflow) utilized, daily water temperatures, name of
dredge, names of endangered species observers, percent observer coverage, and
any other information the USACE, BOEM, and/or contractor deems relevant.
This report must reference the present Opinion by NMFS identifier number (SER -
2017 -18882), title (Bogue Banks Master Beach Nourishment Plan), and issuance
date, and be provided to NMFS's Protected Resources Division at:
takereport.nmfsserknoaa. gov.
b. Information regarding all USACE hopper dredging and relocation trawling
contained in the annual report will be uploaded to the USACE's Operations and
Dredging Endangered Species System (ODESS).
2. Due to the longevity of the proposed action, the USACE and BOEM shall notify NMFS
when 75% of any of the species take limits in Table 21 (i.e., observed lethal or non -lethal)
are reached to discuss whether reinitiation might be necessary.
3. The USACE and BOEM project manager shall notify the STSSN state representative
(contact information available at http://www.sefsc.noaa.gov/seaturtleSTSSN.jsp) of the start -
r •
up and completion of hopper dredging operations and ask to be notified of any sea turtle or
sturgeon stranding in the project area that, in the estimation of the STSSN personnel, bear
signs of potential draghead impingement or entrainment. Information on any such stranding
shall be reported in writing within 30 working days of completion of that year's activities to
NMFS's Southeast Regional Office (address provided in RPM No. 1 above), or included in
the project report (RPM 1).
4. If/when relocation trawling in triggered, all non -lethal relocation trawl take reports shall be
submitted to NMFS weekly at: takereport.nmfsserknoaa.gov. All lethal take reports shall be
submitted within 24 hours (RPM 2) to the same address. These reports shall reference the
present Opinion by NMFS identifier number (SER -2017-18882), title (Bogue Banks Master
Beach Nourishment Plan), and issuance date.
5. The following conditions must be observed during relocation trawling (RPM 2, following
minimization measure 3.1.4f):
c. Trawl Time. Trawl tow -time duration shall not exceed 42 minutes (doors in -doors out)
and trawl speeds shall not exceed 3.5 kn.
d. Handling During Trawling. Sea turtles captured pursuant to relocation trawling shall be
handled in a manner designed to ensure their safety and viability by implementing the
measures below. See Appendix 2: Requirements for Handling Incidentally Taken
Sturgeon and Collecting Genetic Samples for sturgeon -specific conditions. Use
Appendix 3: Sturgeon Genetic Sample Submission Sheet when recording data for any
sturgeon capture via relocation trawling.
i. Holding Conditions. Captured sea turtles shall be kept moist, and shaded whenever
possible, until they are released. They may be held for up to 24 hours if opportunistic,
ancillary, "piggy -back" data gathering (e.g., opportunistic satellite tagging) is proposed.
This Opinion provides the authority to NMFS-approved observers to satellite tag
captured sea turtles.
ii. Measurements, Sampling, and Tagging. This Opinion serves as the permitting
authority for any NMFS-approved endangered species observers aboard relocation
trawlers or hopper dredge to weigh, measure, collect a tissue sample, and tag captured
sea turtles and sturgeon without the need for an ESA Section 10 permit. Only NMFS-
approved observers or observer candidates in training under the direct supervision of a
NMFS-approved observer shall conduct the measuring/weighing/tissue
sampling/tagging operations.
Measurements. All sea turtles shall be measured (standard carapace measurements
including body depth) and weighed prior to release when safely possible.
2. Tissue Sampling. All sea turtles captured by relocation trawling shall be tissue -
sampled prior to release, according to the protocols described in the October 29,
1997, SARBO, as revised through Revision No. 2. Tissue samples shall be sent
100
within 60 days of capture to: NOAA, National Marine Fisheries Service, Southeast
Fisheries Science Center, Attn: Lisa Belskis, 75 Virginia Beach Drive, Miami,
Florida 33149. All data collected shall be submitted in electronic format within 60
working days to Lisa Belskis at the following email address:
Lisa. Belski sknoaa. gov. A copy of the Protected Species Incidental Take Form
should accompany the sample.
3. Tagging_ All sea turtles captured by relocation trawling shall be flipper -tagged
prior to release with external tags that shall be obtained prior to the project from
the University of Florida's Archie Carr Center for Sea Turtle Research. Columbus
crabs or other organisms living on external sea turtle surfaces may also be sampled
and removed under this authority. All sea turtles captured by relocation trawling
or dredges shall be thoroughly scanned for the presence of passive integrated
transponder (PIT) tags prior to release using a scanner powerful enough to read
dual frequencies (125 and 134 kilohertz) and read tags deeply embedded deep in
muscle tissue (e.g., manufactured by Biomark or Avid). Sea turtles which have
been previously PIT tagged shall nevertheless be externally flipper -tagged. PIT -
tagging may only be conducted by observers with PIT -tagging training or
experience. The data collected (PIT -tag scan data and external tagging data) shall
be submitted to NOAA, National Marine Fisheries Service, Southeast Fisheries
Science Center, Attn: Lisa Belskis, 75 Virginia Beach Drive, Miami, Florida
33149. All data collected shall be submitted in electronic format within 60
working days to Lisa Belskis at the following email address:
Lisa. Belski sknoaa. gov. All data generated and samples collected by relocation
trawlers shall also be submitted to the Cooperative Marine Turtle Tagging Program
(CMTTP), on the appropriate CMTTP form, at the University of Florida's Archie
Carr Center for Sea Turtle Research.
iii. Take and Release Time During Trawling. Sea turtles shall be kept no longer than 24
hours prior to release and shall be released not less than 3 nmi from the dredge site.
Recaptured turtles shall be released not less than 5 nmi away and shall be released over
the side of the vessel, away from the propeller, and only after ensuring that the vessel's
propeller is in the neutral, or disengaged, position (i.e., not rotating). If it can be done
safely, turtles may be transferred onto another vessel for transport to the release area to
enable the relocation trawler to keep sweeping the dredge site without interruption.
iv. Injuries and Incidental Take Quota. Any protected species injured or killed in federal
or state waters during or as a consequence of relocation trawling shall count toward the
incidental take quota. Minor skin abrasions resulting from trawl capture are considered
non -injurious. Injured sea turtles shall be immediately transported by Carteret County
or its contractor at its own expense to the nearest sea turtle rehabilitation facility; all
rehabilitation costs and sea turtle transportation costs shall be borne by Carteret County
or its contractor. If it is determined that the turtle cannot be released, NMFS and the
rehabilitation facility will determine the best course of action along with a cost estimate
for continued care.
101
6. For the proposed action, 100% shipboard observer monitoring of inflow screens is required
year-round. If conditions disallow 100% inflow screening, inflow screening can be reduced
gradually. But effective, 100% overflow screening is then required, and an explanation must
be included in the annual project report, and NMFS notified beforehand.
If the dredge is not using UXO screening, then the hopper's inflow screens should initially
have 4 -in by 4 -in screening, for effective screening and capture of entrained protected species
body parts. NMFS believes this is workable for sand mining operations where a minimum of
debris is expected to be encountered. However, if the USACE or BOEM, in consultation
with observers and the draghead operator, determine that the draghead is clogging and
reducing production substantially, the mesh size may be increased after prior consultation
with and approval by NMFS, to 8 -in by 8 -in; if this still clogs, then 16 -in by 16 -in openings.
NMFS believes that this flexible, graduated -screen option is prudent since the need to
constantly clear the inflow screens will increase the time it takes to complete the project;
therefore, it will increase the exposure of sea turtles and sturgeon to the risk of impingement
or entrainment. Inflow screen clogging should be greatly reduced with these flexible options;
however, further clogging (e.g., as when encountering heavy clay or debris) may compel
removal of the inflow screening altogether, in which case effective 100% overflow screening
is mandatory.
The USACE and BOEM shall notify and get approval from NMFS beforehand if inflow
screening is going to be reduced or eliminated, and provide details of how effective overflow
screening will be achieved. NMFS, in consultation with the dredging company, the USACE,
and BOEM, shall determine what constitutes effective overflow screening (RPM 3).
7. The USACE and BOEM will require the use of rigid sea turtle deflectors on all hopper
dragheads. The hopper dredge's sea turtle deflector draghead is to be inspected prior to
startup of hopper dredging operations. In addition, the USACE and BOEM shall ensure that
all contracted personnel involved in operating hopper dredges receive thorough training on
measures of dredge operation that will minimize sea turtle and sturgeon take (RPM 3,
following minimization measure 3.1.4e).
8. The USACE and BOEM shall arrange for NMFS-approved protected species observers to be
aboard the hopper dredge to monitor the hopper bin, screening, and dragheads for sea turtles,
sturgeon, and their remains. For the proposed action, 100% observer monitoring is required.
Beach observers cannot be used in place of shipboard observers for hopper dredging of
borrow areas (RPM 4, following minimization measure 3.1.4d).
9. The USACE and BOEM shall arrange for NMFS-approved protected species observers to
maintain watch on the bridge of all hopper dredges and relocation trawlers for protected
species and keep a logbook noting the date, time, location, species, number of animals,
distance and bearing from dredge, direction of travel, and other information, for all sightings
when the dredge vessel is transiting (following minimization measure 3.1.4d). NMFS-
protected species observer sighting reports shall be included in the annual project summary
report (T&C 1).
102
13 CONSERVATION RECOMMENDATIONS
Section 7(a)(1) of the ESA directs federal agencies to use their authorities to further the purposes
of the ESA by carrying out conservation programs for the benefit of endangered and threatened
species. Conservation recommendations are discretionary agency activities designed to
minimize or avoid adverse effects of a proposed action on listed species or critical habitat, to
help implement recovery plans, or to develop information.
NMFS believes the following conservation recommendations further the conservation of listed
sea turtle species and sturgeon. NMFS strongly recommends that these measures be considered
and implemented, and requests to be notified of their implementation.
1. To the extent practicable, the USACE and BOEM should schedule dredging operations at
times of year when listed species are least likely to be present in the borrow areas.
2. Whenever possible, the USACE and BOEM should outfit any hopper dredge with a rigid
deflector draghead as designed by the USACE Engineering Research and Development
Center. Or if that is unavailable, a rigid sea turtle deflector should be attached to the
draghead.
3. To the extent practicable, the USACE and BOEM should minimize the use of hopper dredges
in favor of cutterhead dredges.
4. The USACE and BOEM should conduct studies in conjunction with cutterhead dredging
where disposal occurs on the beach to assess the potential for improved screening to: (1)
establish the type and size of biological material that may be entrained in the cutterhead
dredge, and (2) verify that monitoring the disposal site without screening is providing an
accurate assessment of entrained material.
5. The USACE and BOEM should support studies to determine the effectiveness of using a sea
turtle deflector to minimize the potential entrainment of sturgeon during hopper dredging.
6. The USACE and BOEM should explore alternative means for monitoring for interactions
with listed species when UXO screening is in place including exploring the potential for
video or other electronic monitoring and consider designing pilot studies to test the efficiency
of innovative monitoring and screening techniques.
In order for NMFS to be kept informed of actions minimizing or avoiding adverse effects or
benefiting listed species or their habitats, NMFS requests notification of the implementation of
any additional conservation recommendations.
14 REINITIATION OF CONSULTATION
This concludes NMFS's formal consultation on the proposed action. As provided in 50 CFR
402.16, reinitiation of formal consultation is required where discretionary federal action agency
involvement or control over the action has been retained, or is authorized by law, and if (1) the
103
amount or extent of incidental take is exceeded, (2) new information reveals effects of the
agency action on listed species or designated critical habitat in a manner or to an extent not
considered in this Opinion, (3) the agency action is subsequently modified in a manner that
causes an effect on the listed species or critical habitat not considered in this Opinion, or (4) a
new species is listed or critical habitat designated that may be affected by the action. Pursuant to
50 CFR 402.14(i)(5), any taking which is subject to an incidental take statement and which is
compliance with the terms and conditions is not a prohibited taking under the ESA.
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