Irrigators,
tribes object to extending Klamath Project interim operations
plan
by
GEORGE PLAVEN Capital Press
Farmers, ranchers and tribal members alike are urging the
U.S. Bureau of Reclamation not to extend its interim
operations plan for the Klamath Project, describing it as
“unworkable and irrational.”
The plan is a product of complex water management scenario
in the Klamath Basin. It provides a formula for how much
water will be allocated each year to irrigators, while
balancing water needs for endangered fish in the Klamath
River and Upper Klamath Lake.
Brian Person, a senior adviser for the Bureau of Reclamation
in Klamath Falls, said the current interim plan was
formalized in March 2020 and was set to expire Sept. 30.
Instead, Reclamation plans to extend its interim operations
plan in anticipation of removing four hydroelectric dams on
the lower Klamath River, which is expected to open about 400
miles of fish spawning and rearing habitat.
“Dam removal is going to literally change the landscape and
geomorphology in the Klamath River,” Person said.
Under the Endangered Species Act, Reclamation is required to
consult with both the National Marine Fisheries Service and
U.S. Fish and Wildlife Service to ensure the Klamath Project
does not jeopardize the survival of imperiled fish.
The resulting Biological Opinions, or BiOps, dictate project
operations for roughly 200,000 acres of farmland straddling
Southern Oregon and Northern California.
There are two BiOps for the Klamath Project — one for coho
salmon in the lower Klamath River, and one for Lost River
and shortnose suckers in Upper Klamath Lake. The suckers are
also known as C’waam and Koptu by the Klamath Tribes.
BiOps are typically updated every five years or as new
scientific information is available, Person said. However,
the most recent BiOps were scrapped in 2019 after the
agencies received “erroneous data” from an outside
consultant during their development.
The Yurok Tribe, Pacific Coast Federation of Fishermen’s
Associations and Institute for Fisheries Resources had also
sued the agencies for not providing enough water in the
Klamath River to prevent an outbreak of C. shasta infecting
salmon. The fish-killing parasite thrives in slow-moving,
warm water.
In response, Reclamation adopted the interim operations plan
to stay in compliance with the ESA while new BiOps take
shape. But that too has been much maligned.
Three consecutive years of record drought have only
exacerbated tensions in the basin. This year’s water
diversions for the Klamath Project are just 15% of full
demand for irrigators, while the Project was shut down
entirely in 2021.
The Klamath Tribes, meanwhile, are suing the government for
failing to meet minimum water levels in Upper Klamath Lake
needed to provide shoreline spawning habitat for suckers.
In a letter sent June 17 to Ernest
Conant, Reclamation’s regional director, the Klamath Water
Users Association outlined deficiencies in the interim
operations plan, claiming “it is based on erroneous data,
flawed hydrologic assumptions and a proposed action that
does not comport with current operations.”
“The three years of attempted
operation under the (plan) has been a period of chaotic, ad
hoc decision-making,” the letter states. “KWUA has, for well
over a year, emphasized the lack of any coherent regulatory
construct for the IOP. That point is further underscored by
the fact that the IOP has required Reclamation to do things
that literally are impossible.”
Officials from the Interior Department wrapped up a two-day
visit to the Klamath Basin on June 29 during which they
heard concerns raised by both the irrigators and tribes.
Person said the primary assertion is that the interim
operations plan simply does not work in such extreme
drought, when there is so little water available in the
system.
Rather than extend the interim plan pending assessments for
post-dam removal, Person said stakeholders asked if agencies
can do annual consultations each year to determine project
supplies and protections for endangered fish.
“Reclamation is still evaluating that request,” Person said.
“There will be some follow-up discussions.”
JUNE 17, 2022 Letter from KWUA to U.S. Bureau of Reclamation
Via Electronic Mail Only
Ernest Conant, Regional Director
U.S. Bureau of Reclamation, California-Great Basin Region
2800 Cottage Way, MP-100
Sacramento, CA 95825-1898
econant@usbr.gov
Subject: Status of the Interim Operations Plan for the Klamath
Project
Dear Mr. Conant:
Klamath Water Users Association (KWUA) objects to the U.S.
Bureau of Reclamation’s
(Reclamation) stated intent to extend the so-called “Interim
Operations Plan” (IOP) for the
Klamath Project (Project) beyond September 30, 2022. KWUA has
expressed its concerns
informally in the past; here, we discuss some of the reasons we
believe Reclamation must
conclude that it cannot simply extend the IOP.
By its terms, the IOP expires on September 30, 2022. Putting
aside that expiration date,
the IOP is not a functional plan. It is not grounded in a
coherent regulatory logic. It is based on
erroneous data, flawed hydrologic assumptions, and a proposed
action that does not comport
with current operations. Further, there is new scientific
information that must be considered, and
additional new scientific information will be in hand before the
2023 irrigation season.
Below, we discuss these problems further. This discussion does
not re-iterate our
differences of opinion on legal issues, and we reserve our
position on those matters. The
deficiencies discussed below are not dependent on the resolution
of those issues.
The IOP is Not a Functional Plan
and is Not Based on a Coherent Regulatory Logic
The three years of attempted operation under the IOP has been a
period of chaotic, ad hoc
decision-making. KWUA has, for well over a year, emphasized the
lack of any coherent
regulatory construct for the IOP. That point is underscored by
the fact that the IOP has required
Reclamation to do things that literally are impossible.
Three core defects in the IOP’s approach to Endangered Species
Act (ESA) compliance
render it unworkable and irrational. First, the IOP does not
concern itself with the effects of
Reclamation’s discretionary actions, which is the relevant
consideration under Section 7 of the
ESA. Rather, it is a product of agencies simply bargaining for
water, in a negotiation in which
Reclamation has almost no leverage and the National Marine
Fisheries Service (NMFS) and
Phone (541) 883-6100 Fax (541) 883-8893 ~ 2312 South Sixth
Street, Suite A, Klamath Falls, Oregon 97601
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 2
U.S. Fish and Wildlife Service (USFWS) are not accountable.
Second, the IOP requires the
Project to be the guarantor of certain hydrologic conditions in
the Klamath Basin, something that
is beyond Reclamation’s power and physically impossible. Third
and related, the ESA-driven
IOP is not based on addressing limiting factors for ESA-listed
fish; the IOP has caused great
harm to farm families and rural communities, wildlife, and the
environment of the Project region,
while yielding no benefit for ESA-listed species. In short, the
IOP is unfair, ineffective, and
dysfunctional.
How Things Got Here
We believe it is essential that policy leadership in the Biden
Administration gain an
understanding of how the IOP came to be. One cannot solve a
problem without understanding
what the problem is. In January 2021, career staff in
Reclamation completed an ESA
“Re-assessment.” Secretary Haaland withdrew the Re-assessment
for reasons unrelated to its
merits. KWUA has accepted that reality. But the Re-assessment
includes a historical narrative
of how Project operations evolved to the current dysfunctional
state, which should be read and
understood by anyone involved in the process.
During 2012-2013, there was a Section 7 consultation, driven by
a collaborative approach
to developing a proposed action. For this effort, parties set
aside strict legal positions and
extreme environmental demands for water, in favor of developing
an interest-based outcome that
parties could live with. It was not a routine Section 7
consultation; it was a negotiated operation
that worked well enough, under the circumstances then existing.
Unfortunately, the NMFS Biological Opinion (BiOp) for that
proposed action identified a
limit on incidental take for coho salmon, expressed by a
surrogate measure that had nothing to do
with take of coho salmon. That surrogate measure was exceeded in
2014 and 2015, which
ultimately resulted in litigation being filed in 2016. In 2017,
the court found that Reclamation
was in procedural violation of the ESA due to its failure to
reinitiated consultation. In early
2017, the court entered an injunction in the form of an add-on
to the action that was operationally
unworkable. Reclamation did not conclude until late in 2018 that
it needed to complete a new
consultation expeditiously. When it did so, it did not start
from scratch; it started with the
construct of the negotiated 2013 proposed action, but added
different, unworkable add-ons.
NMFS and USFWS issued new BiOps in early 2019.
One of the errors in the 2019 consultation was that a consultant
for the federal agencies
made a mistake. He provided the wrong file to the agencies for
use in hydrologic modeling.
Soon after the 2019 consultation concluded, the same consultant
was hired by the Yurok Tribe.
Working for the Yurok Tribe, he discovered his own mistake.
The Yurok Tribe and others filed a lawsuit in the U.S. District
Court for the Northern
District of California (Case No. 3:19-cv-04405-WHO), in which
the plaintiffs alleged, in part,
that Reclamation failed to reconsult after it became aware of
erroneous data provided by the
once-federal, now-Yurok consultant during the federal agencies’
Section 7 consultation process.
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 3
The plaintiffs also sought a preliminary injunction. In March
2020, the parties to that litigation,
including KWUA, entered a stipulated agreement to stay the
proceedings, which the court
approved by order dated March 27, 2020. The stay was effective
through September 30, 2022,
conditioned upon Reclamation operating the Project in accordance
with the IOP during that
period. The IOP effectively amounts to the proposed action from
the hurried 2019 consultation
action modified to include a trigger for releasing an additional
40,000 acre-feet (beyond the
calculated Environmental Water Account) to the Klamath River in
some hydrologic conditions.
Thus, there may be reasons that the IOP came to be as it is, but
the IOP most certainly is
not the product of a proper Section 7 consultation. As you know,
in January 2021, Reclamation
completed an ESA “Re-assessment” that shined a light of much of
this same history. Secretary
Haaland withdrew the Re-assessment for reasons unrelated to its
merits. KWUA has accepted
that reality. But the withdrawal does not mean that the current
approach is correct.
Where Things Are: Foreign to Section 7
Under Section 7, a federal agency is required to consult with
USFWS and NMFS, as
applicable, to ensure that its proposed actions are not likely
to jeopardize the continued existence
of federally listed species or adversely modify designated
critical habitat. Not all agency actions
are subject to the Section 7 consultation process. A federal
agency must have discretion over an
“action” in order to trigger Section 7’s substantive obligation
to avoid jeopardy and the related,
procedural Section 7 consultation obligation. Actions over which
the federal agency has no
discretion because the action is legally mandated or the agency
has no direct physical control
over are not actions upon which it must consult.
1
A gross flaw in the proposed actions underlying the IOP is they
extend to natural
conditions and events, as well as actions by third parties, over
which Reclamation has no control.
A thorough analysis of all the non-discretionary actions that
Reclamation has attempted to
include within its Section 7 consultation process is beyond the
scope of this letter, but two
fundamental examples highlight this defect: (1) hydrology over
which Reclamation has no
control; and (2) diversions and other activities over which
Reclamation has no control.
For instance, under the IOP, Reclamation attempts to produce
water levels in Upper
Klamath Lake that match the modelled output of the Klamath Basin
Planning Model (KBPM),
often within a hundredth of a foot of the desired level. This
commitment exists, regardless of
whether actual stored water and inflows are sufficient to
achieve the modelled output. This leads
to nonsensical results, such as in 2021, when Reclamation was
apparently violating the IOP and
BiOp incidental take limits despite taking no overt operational
actions. The same issue exists for
river flows, particularly those more than 40 miles downstream of
the Project, after water released
from Upper Klamath Lake has passed through four non-federal
hydroelectric dams and
1 KWUA’s purpose here is not to argue that any given
Project-related activity is or is not discretionary. Rather, our
point is that the IOP and related consultation materials make no
effort to determine what is or is not discretionary.
This may be explainable by the tortured history that preceded
the IOP, but it is not how Section 7 works.
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 4
reservoirs. These two hydrologic conditions are the most
glaring, but not the only natural
processes or events that Reclamation purports to control under
the IOP.
Reclamation further commits itself in the IOP to producing
certain hydrologic conditions
regardless of whether the actions of non-federal parties prevent
or interfere with any of those
conditions from occurring. In particular, there are hundreds of
private, non-federal diversions
from Upper Klamath Lake and the Klamath River over which
Reclamation has no physical or
legal means of control over. Among these non-federal actors are
individuals and entities with
contracts with the United States for water from the Project,
which do not afford Reclamation any
discretion to curtail deliveries to, at least certainly not for
the express benefit of listed species.
To the extent that there are diversions associated with other
federal activities or projects, there is
a completely different set of rules that applies to those
activities, and they are not required to be
the guarantor of instream water levels.
The effects of actions over which Reclamation has no discretion
– even though those
actions may occur within the service area or involve existing
facilities of the Project – cannot
reasonably be characterized as agency actions that may cause
impacts to listed species or
modification of their critical habitat within the meaning of the
ESA. Those effects are not an
agency action subject to consultation. Rather they are
activities or conditions that exist
independent of Reclamation’s operation of the Project and are
therefore properly attributable to
the environmental baseline. It is only the agency’s
discretionary actions that are subject to
consultation and the IOP makes no attempt to distinguish between
actions over which
Reclamation retains discretion, and the multitude of processes,
events, and activities within the
Project or involving Project facilities over which Reclamation
has no physical or legal means of
control.
This problem extends further in that the IOP burdens Reclamation
with the duty to
mitigate, or attempt to mitigate, the effects of other factors
that affect fish populations. In 2021
and 2022, the IOP or its spin-off “temporary” plans require the
Project to augment Klamath
River flow artificially during the irrigation season. It is not
conceivable how that can be
necessary to avoid prohibited “effects” of the Project.
Worse, the bargaining-for-water that drives the IOP approach and
current operations is
only that: bargaining for water. The IOP and BiOps do not
concern themselves with whether
increased instream water levels will address limiting factors
for ESA-listed species. For
example, no regulation of the Project has improved or will
improve recruitment to adulthood for
endangered suckers. Similarly, Project deliveries are curtailed
in order to maximize the area of
physical habitat in the Klamath River, but it is virtually
certain that physical habitat in the
mainstem Klamath River is not a limiting factor for coho
populations.
This is not the first time we have identified these fundamental
problems. There has been
no response to our prior communications, and no effort to engage
with KWUA on these topics,
despite repeated requests. However, even if the agencies
continue to avoid these issues, there are
other, independent reasons that the IOP cannot be extended.
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 5
The September 30, 2022 Termination of the IOP is Part of a
Bargained-for Agreement
As discussed above, the IOP is the result of a settlement in
litigation. The stipulated
agreement between the parties, approved by court order, is
premised on Reclamation’s
commitment to complete a new ESA Section 7 consultation prior by
September 30, 2022 at the
latest. The September 30, 2022 date is not incidental or
accidental. The parties weighed the
risks of a potential preliminary injunction against an IOP of
specific duration. That duration was
actively negotiated as part of a deal. The IOP thus states (p.
2) that Reclamation “proposes an
Interim Plan that would be in effect until the earlier of
September 30, 2022, or the completion of
reinitiated ESA Section 7 consultations on a modified or new
proposed Operations Plan . . . to
supersede . . . the Proposed Interim Plan.” Until very recently,
Reclamation had been regularly
providing status reports to parties to the litigation on the
consultation process, consistently
indicating its intent to comply with the September 30th
deadline.
The IOP Does Not Satisfy Section 7 of the ESA
Reclamation adopted the IOP because it had not adequately
completed the ESA Section 7
consultation process. By letter dated March 25, 2022,
Reclamation advised the parties that it
proposes to operate the Project “consistent with the [IOP] until
that time . . . .”; that time
apparently is when “reinitiated consultation on Project
operations biological opinions is
completed.” This circular statement provides no fixed time by
which Reclamation would
complete the required ESA Section 7 consultation process, and
would have the agency continue
to follow the IOP indefinitely.
Reclamation officials have suggested that this letter is
intended to convey the agency’s
intent not to complete the consultation process until sometime
after removal of the four
hydroelectric dams on the mainstem of the Klamath River. This
timeline is therefore to be
unbounded, according to Reclamation, but certainly not within
the next two years.
As previously noted, Reclamation’s biological assessment, dated
December 21, 2018,
relied upon erroneous data related to aquatic habitat for salmon
in the Klamath River
downstream of Iron Gate Dam. NMFS BiOp, dated March 29, 2019,
also relied upon the same
erroneous data for purposes of its analysis and resulting
opinion. Reclamation attempted to
rectify this deficiency through a five-page memorandum sent to
USFWS and NMFS, dated
March 27, 2020.
Rather than updating or amending Reclamation and NMFS’ analysis
based on the
corrected data, Reclamation proposed in the IOP to add a large
volume of water (40,000 acre-
feet) to the already immense volume to be released to the river
in April and May in certain year
types. To support this change, Reclamation’s March 27, 2020,
memorandum included one
paragraph “evaluating” the change, basically stating that the
additional water would now meet
the “conservation standard” it had previously analyzed for
salmon habitat (i.e., 80 percent of
maximum available habitat, or so-called “Hardy flows”).
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 6
NMFS formally responded in writing, acknowledging that the new
operations regime
would presumably result in the conditions it analyzed in its
2019 BiOp with the erroneous data.
So, in effect, Reclamation’s solution to the defective data and
resulting analysis was to amend its
proposed action.
To further change the nature of the proposed action, Reclamation
also included
“springtime water borrowing operations” from PacifiCorp’s
reservoirs, whereby Reclamation
would “borrow water or modify augmentation releases . . . to
ensure that [Upper Klamath Lake]
elevations would not fall below 4,142.0 feet during April and
May during that water year.” In
other words, to offset the potential impact to the lake from the
additional releases to the Klamath
River, Reclamation said it would borrow water from PacifiCorp.
Notwithstanding the fact that
the proposed “springtime water borrowing operations” have not
occurred in 2020, 2021, or 2022,
despite Upper Klamath Lake’s elevation falling or being below
4,142.0 feet in April and May
each year, Reclamation is now proposing to continue this
“borrowing” indefinitely, through and
after PacifiCorp’s dams have been breached. How will Reclamation
“borrow” water from
PacifiCorp reservoir’s when they are gone? These are the kinds
of logical inconsistencies that
stem from a plan that has never been fully analyzed.
Other Erroneous Data
There are other, fundamental data errors that underly the IOP.
One is the bathymetric
data for Upper Klamath Lake (i.e., “Neuman 2017”). Reclamation’s
2018 biological assessment
stated that “specific concerns have been raised regarding the
accuracy of the [Upper Klamath
Lake] bathymetric layer utilized [] to model this [Proposed
Action]; however, it is the best
information currently available and it is unclear and [sp.] to
what extent (if any) a revised
bathymetric surface will have on existing area capacity curves”
(pp. 3-5 and 4-5).
Apparently because of doubts over the accuracy of Reclamation’s
bathymetry, USFWS
collected its own “new, high quality bathymetric data” (“Shelly
et al. 2019”) prior to preparing
its 2020 BiOp. This data USFWS collected is apparently not
comprehensive, covering only the
northern portion of the lake. The data is also not publicly
available, nor has it been peer
reviewed. Nonetheless, there are apparently significant
discrepancies between the two data sets.
KWUA understands that Reclamation has recently collected new
bathymetric data for
Upper Klamath Lake and is currently developing a revised
area-capacity curve. What this new
data means for other key biological factors, like the amount of
habitat at various depths and
access to water quality refugia, also needs to be analyzed.
Reclamation already has the corrected
data, so this analysis should already be underway. Reclamation
also has an obligation to share
this new, corrected data with KWUA and other stakeholders for
their independent review.
Another key data point for Reclamation’s 2018 biological
assessment is the amount of
wetland habitat around Upper Klamath Lake that remains inundated
with at least a foot of water,
presumably for its importance to larval and juvenile sucker
survival. Putting aside the obvious
questions about the premise underlying this assumption,
Reclamation’s 2018 biological
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 7
assessment included an error in how it determined the amount of
wetland habitat inundated at
certain lake elevations. Specifically, the percent of wetland
habitat was calculated in relation to
the elevation of the bottom of the lake, not the lake’s water
surface. This error meant that
Reclamation was comparing two different benchmarks when it
analyzed the effect of water
surface elevations on inundated wetland habitat, referring to
the lakebed when discussing water
levels.
Reclamation identified and attempted to correct this error in a
2019 paper, which, like the
bathymetric data, has not been publicly released or undergone
any form of peer review.2 Read in
its totality, this paper raises serious questions about
Reclamation’s methodology to determine
wetland habitat. Nevertheless, the key point here is that
Reclamation never corrected the
analysis that now underlies the IOP.
We do not here intend to endorse any specific data or speak to
its biological significance.
Rather, we believe it is critical to acknowledge that much of
the key data behind the IOP and
related federal agencies’ analysis is known to be erroneous.
Flawed Hydrologic Assumptions
The IOP is based on outputs from the KBMP, which is intended to
provide predictive
hydrologic outcomes, particularly for lake elevations and river
flows, under different operational
scenarios. The KBPM was developed and is based around a
designated hydrologic period of
record, 1981 through 2019. If the model is inaccurate or the
period of record is unrepresentative
of likely conditions, the anticipated hydrology under the
proposed operations will not in fact be
predictive. Experience has shown that one or both of these
deficiencies exist.
The best evidence of the problems is the entire history of
operation under the IOP. In
each of 2020, 2021, and 2022, it has not been possible to
operate the Project to produce the
hydrologic outcomes projected in the KBPM.
Using lake levels as one hydrologic indicator, the KBPM showed
that a water surface
elevation of 4,142.0 feet could be maintained throughout April
and May in 85 percent of all
years; whether or not it has a particular biological
significance, that operating criterion plays a
part in the IOP. Yet Upper Klamath Lake elevations have not met
that standard in any of the
three years under the IOP. At no time in the period of record
did the KBPM anticipate that
Upper Klamath Lake would fail to reach 4,142.0 feet in April or
May in multiple consecutive
years, let alone three years in a row.
At the end of May 2022, despite more than a month of above
average precipitation, the
level of Upper Klamath Lake was still more than 1.2 feet below
the standard set for April and
May in the IOP (4,142.0 feet). That difference in elevation
represented a storage volume of over
105,000 acre-feet. This outcome, it should be noted, is after
Reclamation elected to leave an
2 Hereford, Danielle M. and J. Roberts, Reclamation, “Assessment
of wetland habitat for larval and young of the
year suckers at various lake elevations in Upper Klamath Lake,
Oregon” (Mar. 18, 2019).
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 8
extra 40,000 acre-feet of water in Upper Klamath Lake at the end
of 2021. 2022 is not the driest
year in the period of record used in the KBPM, and yet the lake
levels now occurring were never
supposed to happen according to the KBPM.
Likewise, the commitment in the IOP to release up to 50,000
acre-feet prior to April 15
of each year for a “surface flushing flow” has proven to be
problematic, given all the other
hydrologic requirements coded into the KBPM. Reclamation has
been unable to match the
72-hour, 6,030 cubic-feet-per-second flow at Iron Gate Dam in
all three years under the IOP.
Another failed aspect of the IOP is the notion of a “locked in”
minimum Project Supply
calculated on April 1. This “locked in” supply was intended to
provide water users some level of
assurance, in part so that farmers and water managers can
attempt to plan rationally for a limited
supply. The first two years of the IOP did not result in a
locked-in Project Supply; this year, the
necessary deviations from the IOP have led to a different
approach to Project Supply than
originally contemplated in the IOP.
Whether it is the model or the data inputs, something is wrong.
In general, KWUA
believes it is inherently flawed to attempt, as Reclamation
does, to manage an entire river basin
in accordance with model outputs. Moreover, the KBPM has become
a Frankenstein-type
product, as Reclamation has repeatedly reallocated more water
for river releases, clearly to a
level that natural hydrology cannot sustain.
Operational Inconsistencies
Beyond the problems with the KBPM and its associated period of
record, the IOP
assumes the operation of certain Project facilities at odds with
how these facilities are currently
being operated.
A clear example of this inconsistency is Tule Lake Sump 1A,
which is also part of the
Tule Lake National Wildlife Refuge and critical habitat for
birds in the Pacific Flyway. As part
of the IOP, Reclamation committed to maintaining minimum
year-round elevations in Sump 1A
for the protection of suckers, characterizing these operations
as “consistent with historic
operations . . . .” (p. 7-28). Under exceptional conditions,
Reclamation anticipated low water
levels in Sump 1A might force the temporary relocation of
suckers there, causing the potential
mortality of up to 100 adult suckers (p. 7-29).
In the summer of 2020, the first year of the IOP, Sump 1A would
have gone dry had
Reclamation not implemented a water exchange from Clear Lake
Reservoir. This novel
operation was not part of the IOP. Despite this exchange and
Tulelake Irrigation District’s (TID)
efforts, water levels in Sump 1A still fell below the minimum
under the IOP, leading to a severe
outbreak of avian botulism.
In 2021, TID again had to warn Reclamation that Sump 1A was
going dry, but by then it
was already too late. To avoid the inevitable stranding of
suckers and a repeat of avian botulism,
USFWS and Reclamation decided to drain Sump 1A into Sump 1B. The
agencies coordinated to
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 9
salvage suckers from the drying lakebed, but their inability to
get equipment and personnel in
and around the muddy sump hampered these efforts and only
approximately 300 adult suckers
were saved. Flocks of pelicans, seagulls, and other birds likely
consumed tens of thousands of
fish, many of which were undoubtedly endangered suckers.
Since then, for the first time in human history, Tule Lake Sump
1A has remained
completely dry, creating dust storms that have plagued local
communities. It is unlikely that
Sump 1A will be refilled in 2022. In fact, now Sump 1B appears
likely to go dry in the coming
months, forcing additional fish salvage efforts, causing the
mortality of hundreds if not
thousands of fish, and eliminating the last sliver of waterfowl
habitat in the refuge.
There is currently no plan between Reclamation and USFWS for
refill of either Sump 1A
or 1B (when it inevitably goes dry). In fact, neither
Reclamation nor USFWS have even raised
the need to refill the sumps or identified this as a priority.
It appears that both agencies have
essentially written off the Tule Lake Sumps as habitat for both
endangered suckers and birds
migrating along the Pacific Flyway.
New Information
There is significant new scientific information, and there will
be more in the near future.
For example, the NMFS 2019 BiOp calls for regulation of Klamath
River flows on the basis that
endangered Southern Resident killer whales eat Klamath River
Chinook salmon. NMFS’
exceptionally qualitative analysis makes no attempt to determine
the importance of Klamath
River salmon for the Southern Resident whales, and it certainly
does not provide a convincing
logic that variations in Klamath River flows are consequential
for the whales. There is
substantial new information that indicates that Klamath Chinook
amount to a very small
percentage of the whales’ diet, and only during a few months of
the year. This information must
be considered.
Also, in the near future, there will be two reports from the
U.S. Geological Survey
concerning the relationship between Upper Klamath Lake
elevations and water quality and
sucker survival. The work of the acknowledged federal expert
agency should be considered
immediately in Project operations.
Conclusion
The IOP expires on September 30, 2022. That date cannot come
soon enough. The IOP
is a product of a unique context. It was never intended to
satisfy Reclamation’s Section 7
consultation obligation, but rather as a short-term measure to
address known errors in the data
the agencies relied upon and to afford Reclamation time to
complete a proper consultation.
Reclamation should complete a new consultation process prior to
October 1, 2022. For
that consultation, it must fundamentally change its approach,
from one based on bargaining for
water to one that: clearly specifies the proposed discretionary
action or actions that are the
subject of consultation, identifies an environmental baseline
consistent with federal regulations,
Ernest Conant
RE: Status of the Interim Operations Plan for the Klamath
Project
June 17, 2022
Page 10
and evaluates the effects of the discretionary agency actions by
comparison to the environmental
baseline. In the near term, we believe the most prudent approach
will be one-year-at-a-time
consultations, which can evolve to longer term or permanent
proposed actions in the future.
I look forward to discussing this with you in the near future.
Sincerely,
Paul S. Simmons
Executive Director and Counsel
cc: KWUA Board of Directors
Klamath Project Managers
Paul Souza, USFWS
Scott Rumsey, Ph.D., NOAA Fisheries
Jeff Payne, Reclamation
Lisa Van Atta, NOAA Fisheries
Alan Heck, Reclamation
Chris Beck, Reclamation
Carter Brown, Office of the Solicitor
Lance Wegner, Office of the Solicitor
Moss Driscoll, KWUA
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