| Dear
Buffalo Friends,
Montana Fish, Wildlife & Parks (FWP) has *extended*
the comment period on the RTR land "deal"
until November 21, 2008. So, if you haven't sent in
your comments yet, there is still time! Thank you to
everyone who has already submitted comments - there's
been a great outpouring and you are helping to make
a positive difference for the buffalo - thank you. NOTE:
FWP was having some trouble receiving some emails, so
those who have already sent their letters may want to
resend them. Everyone should request receipt confirmation
in your personalized comments, and you may want to follow-up
with an email to FWP's Rebecca Cooper at rcooper@mt.gov.
TAKE ACTION NOW!
Thank you for being a voice for the last wild population
of American bison!
Roam Free,
~Stephany
URGENT ACTION NEEDED!
* Comment! RTR Purchase is a Lousy Land Deal
for Wild Buffalo
Your public comments are needed by 5:00 pm, Friday,
November 21, 2008, on the so-called land deal - a 30-year
lease of grazing rights from the Royal Teton Ranch -
between state and federal agencies, some conservation
groups, and the Church Universal & Triumphant (CUT).
If this land lease goes through, CUT will receive more
millions for leasing their land for a mere 30 years
so that a handful of captured, tested, and tagged bison
could temporarily occupy portions of their native range
outside Yellowstone's north boundary. Over the years,
thousands of wild bison have been slaughtered for even
looking in the direction of these lands. Back in 1998-99,
$13 million U.S. tax dollars were spent to allow wild
bison and other migratory wildlife safe passage through
this critical corridor, but to date, bison have been
repeatedly harassed and killed for attempting to access
these lands. Now, the agencies involved are touting
it as a huge step forward, when, in reality, it is a
corridor to nowhere with only 25 buffalo gaining temporary
access to it and only after being run through the typical
buffalo torture gauntlet of capture, testing, telemetry
device implants, and tagging.
TAKE ACTION TODAY FOR THE BUFFALO!
The agencies are pressing forward with the process and,
having finished the scoping phase. They have quickly
prepared a draft environmental assessment (EA). FWP
is accepting public comments on the draft EA through
Friday, October 31. Click here to send comments now
and to review talking points and supporting information.
Information is also pasted below for your convenience.
FWP must receive your comments by 5:00 pm MST Friday,
November 21, 2008.
Please send your comments to:
Montana Fish, Wildlife & Parks
Attn: RTR Grazing Rights Purchase
1420 East Sixth Avenue
P.O. Box 200701
Helena, MT 59620-0701
email: RTRgrazing@mt.gov
Please also send a copy of your comments to Buffalo
Field Campaign
at bfc-media@wildrockies.org.
Thank you and roam free!
TALKING POINTS:
Please use the talking points below to craft your individual
comments on the Draft Environmental Assessment for the
Royal Teton Ranch Grazing Restriction and Bison Access
Agreement.
Supporting information for each of the talking points
is also posted below for your use.
Please be sure to *personalize* your comments, as these
carry more weight with decision-makers. Thank you!
1. An extension on the comment period
is requested. Two weeks is a severely inadequate amount
of time to read through, digest and comment on a 74
page Environmental Assessment that has such a significant
impact on America's last wild population of bison and
U.S. taxpayers.
2. The proposed action is a major federal
action requiring NEPA analysis as well as MEPA analysis,
and requires full analysis in an EIS
3. The EA is deficient and does not
include an adequate range of alternatives
4. The EA references related agreements
not provided and the proposed action threatens to influence
and bias these contractual agreements
5. The proposed action further threatens
to restrict management adaptation in the IBMP, and inappropriately
relies on approval by a private party
6. The proposed action may reduce the
ecological benefits of having wild bison on the landscape
SUPPORTING INFORMATION:
The proposed action is a major federal action requiring
NEPA analysis as well as MEPA analysis, and requires
full analysis in an EIS.
While Montana Fish, Wildlife, and Parks' (MFWP) draft
Environmental Assessment (EA) indicates it relies on
the Interagency Bison Management Plan (IBMP) and its
EIS "to guide the proposed action" (EA at
37), it is unclear whether MFWP intends to tier to that
EIS. Whether MFWP does or does not intend to tier to
the IBMP, a full environmental analysis is necessary
for the proposed action, and an EIS should be prepared.
This is necessary for at least two reasons.
First, the IBMP is flawed and requires a supplemental
EIS, as both signatory organizations to these comments
and others indicated in a letter to Yellowstone National
Park Superintendent Suzanne Lewis and copied to the
cooperating state and federal agencies including MFWP
on October 21, 2008. That letter is hereby incorporated
by reference in its entirety. Second, a full EIS must
be prepared for the proposed action because the proposed
lease is for thirty years while the IBMP was approved
for only fifteen years in 2000. Therefore, no analysis
exists for the life of the proposed action beyond the
draft EA.
Additionally, the proposed action constitutes major
federal action, and MFWP must work with the involved
federal agencies to prepare a full EIS, or the federal
agencies must prepare an EIS in addition to MFWP's.
The federal government is making a substantial contribution
to the action through YNP's $1.5 million dollar contribution,
triggering federal NEPA requirements as well as the
MEPA requirements. Because this action raises substantial
questions that impacts will be significant, the state
and federal agencies must prepare a full EIS with a
full range of alternatives.
The EA is deficient and does not include an adequate
range of alternatives
The EA is deficient and legally inadequate. We request
that this be rectified by preparing an EIS with a wider
range of alternatives and providing additional time
for the public to review new information requested herein
and contribute comments on the proposed action by the
State of Montana.
The range of alternatives A (RTR 30 year lease) and
B (no action) is inadequate. Alternatives should include,
but should not be limited to the following: purchase
of the grazing right in perpetuity, managing wild bison
as a free ranging wildlife species, bypassing Church
Universal and Triumphant lands with a wildlife crossing
to suitable habitat east of the Yellowstone River, and
adapting Zone management changes in the IBMP to allow
bison migration east and west of the Yellowstone River.
The EA is specifically deficient in that it does not
provide adequate analysis of the following: factual
information regarding fencing use and installment including
location, extent, and type of fencing and the duration
of installment; impacts of fencing on other wildlife
including elk, bighorn sheep, mule deer, pronghorn antelope
and bison, and impacts on grizzly bears, gray wolves
and eagles based on impacted movements of the ungulates;
impacts of fencing on wildlife access to critical habitat
purchased and conserved with thirteen million dollars
of taxpayer money in the Royal Teton Ranch land agreement
in 1999; financial analysis for the proposed agreement
such as sources of funding secured, pledged or otherwise
sought; and additional information related to a potential
additional bison trap on Gallatin National Forest lands
that may be constructed as part of the lease agreement
or under the IBMP in the project area of the proposed
action.
Additionally, despite assurances by MFWP, the fact is
nearly several miles of electrified fencing will be
installed and operated in a critical wildlife corridor
during winter and spring. These negative and long term
impacts to migrating wildlife include but are not limited
to impeding free movement to water and forage. There
is also a probability of electrocution of bird species
that may use the fence posts as perches, and or attempt
to perch on electrified wires. Fencing - even the most
carefully designed and operated available - is a negative
and major impact on native wildlife species in a known
wildlife corridor.
Montana Fish Wildlife & Parks must also conduct
a cultural resource survey to prevent loss or damage
to important cultural sites that may be impacted in
this decision. "SHPO has recommended FWP conduct
a cultural resource survey along the fencing path in
order to determine whether or not sites exist and if
they will be impacted." (EA at 32) "Based
on the existing circumstances, FWP is not required to
conduct a cultural resource survey along the proposed
fence line." (EA at 33)
The EA references related agreements not provided and
the proposed action threatens to influence and bias
these contractual agreements
The Environmental Assessment references a RTR Bison
Management Plan (EA at 6) Exhibit D (EA at 13). However,
there is a blank page and no plan presented in Exhibit
D. To our knowledge no such plan has been agreed to
by Church Universal & Triumphant and the U.S. Forest
Service, which is stipulated in the $13,000,000 land
deal negotiated in 1999:
Section VII
A. "The parties agree ... to develop a Royal Teton
Ranch Bison Management Plan ... for the Easement Lands
and other lands mutually agreed upon ... This plan would
be intended to guide management actions consistent with
the terms and purposes of this Easement, though it may
be more protective of bison and their habitat. It should
identify ways to manage the land to preserve, restore
and enhance the bison that utilize the Property and
their habitat."
Deed of Conservation Easement, Royal Teton Ranch - Devil's
Slide Area August 30, 1999.
A decision on a 30 year lease must not bias negotiation
between the U.S. Forest Service and Church Universal
and Triumphant to uphold their duty to the public trust
and put in place a Bison Management Plan for the Royal
Teton Ranch that ensures a "safe haven for bison":
"Even though the IBMP identifies a maximum of 100
bison to be allowed to roam through the RTR, as acknowledged
in the agreement, FWP and the Church recognized the
possibility that a decision may be made to move to Step
3 of the IBMP or allow an additional number of bison
in to the corridor during the course of the 30-year
term of the agreement. This decision and any subsequent
amendments to the agreement would only be made if experience
shows that agency partners are able to consistently
and effectively contain bison within the bison corridor
and bison use areas and that bison are not adversely
impacting public safety, private property or habitat
conditions; and the proposed amendment is consistent
with the terms of the existing conservation easement
between the RTR and the Forest Service." (EA at
35)
As proposed, the material terms and conditions of this
lease biases negotiation of a safe haven for bison by
locking in management terms for 30 years that have yet
to be negotiated and agreed to by the U.S. Forest Service
who has land management authority for these very same
lands now potentially subject to a 30 year contract.
The proposed action further threatens to restrict management
adaptation in the IBMP, and inappropriately relies on
approval by a private party
The 30 year term of the lease locks in future management
decisions not yet made or committed to, nor subject
to public input beyond the 15-year life of the IBMP.
"This environmental analysis focuses on Montana
Fish, Wildlife and Park's (FWP) part of the implementation
of Step 2 of the Interagency Bison Management Plan (IBMP)
which would allow for the controlled movement of a limited
number of bison through Royal Teton Ranch (RTR) properties
to graze on Forest Service lands north of Yellowstone
National Park (YNP)." (EA at 7)
The material terms of the plan illegally restrict management
authority and adaption in the IBMP. EA Exhibit F - Material
Terms of the Plan (GRAZING RESTRICTION AND BISON ACCESS
AGREEMENT at 22) 1. Bison attempting to leave the Yellowstone
National Park shall be captured and tested at the Stephens
Creek capture facility. In Steps One and Two of the
Plan, only seronegative bison will be allowed to roam
outside Yellowstone National Park. In Step Three of
the Plan, untested bison may be allowed to roam outside
Yellowstone National
Park.
The Record of Decision does not dictate capture of bison
attempting to leave Yellowstone National Park: "In
the north boundary area NPS would continue to monitor
bison from approximately November 1 to April 30 within
Yellowstone National Park and use hazing within the
park to prevent bison movement north onto private and
Gallatin National Forest lands in the Reese Creek area.
" (ROD at 11-12)
Additionally, we are alarmed about the appropriateness
and legality of subjecting the authority and decisions
of the federal and state IBMP agencies to approval by
a private party. "Any adaptive changes in the IBMP
will be incorporated into the Agreement, subject to
the
approval of the RTR that will not be unnecessarily withheld."
(EA at 27) The question is not whether the private party
unnecessarily withholds its approval, but the unprecedented
nature of granting public decision making authority
to a private party over a public trust bison herd.
The proposed action may reduce the ecological benefits
of having wild bison on the landscape
MFWP did not analyze the ecological role of wild bison
on the landscape or the ecological benefits of a natural
free ranging herd including their role in restoring
ecosystem function and health of grasslands where they
have been extirpated. The proposed fencing, temporal
use restrictions, and disruption of herd familial groups
through capture, may negatively impact the beneficial
role of wild bison on grasslands. We hereby incorporate
by reference and in its entirety a compact disc submitted
along with our comments covering the historical, cultural,
biological, and keystone role of wild bison in their
native range.
Top
of Page
|