HomeMy WebLinkAbout611 LAPORTE AVE - CARRIAGE HOUSE - FDP230018 - SUBMITTAL DOCUMENTS - ROUND 1 - WILDLIFE DOCUMENTS
937 Mallard Drive, Ft. Collins, CO 80521 * (970) 224-0851 * www.bluemountainenvironmental.com
May 10, 2023
Noah Hutchison
Hutch Design Build
970-294-1557
connect@hutchdesignbuild.com
RE: 611 Laporte Avenue Carriage House Bird Nesting Survey
Mr. Hutchison:
The tree in the southeast corner of the property at 611 Laporte Avenue in Fort Collins was surveyed
for active and inactive nests by Sheila Webber (Ornithologist) on May 9, 2023, in compliance with
the Migratory Bird Treaty Act of 1918. During the survey no active or inactive cavity, platform
(stick), or cup nests (including supported, suspended, prehensile or adherent nests) were observed.
Please extend our thanks to the property owner for allowing Sheila access to the yard to conduct the
survey.
The purpose of the Migratory Bird Treaty Act is to ensure the sustainability of populations of all
protected migratory bird species. According to the U.S. Fish and Wildlife Service: The MBTA
provides that it is unlawful to pursue, hunt, take, capture, kill, possess, sell, purchase, barter, import,
export, or transport any migratory bird, or any part, nest, or egg or any such bird, unless authorized
under a permit issued by the Secretary of the Interior. As one of the most important conservation
laws, this treaty has saved many bird species from extinction.
It is our opinion that there are no active nests on the Property and that sitework should commence
within three to five days to limit the potential for new nest construction.
To mitigate the loss of a potential nesting tree, Blue Mountain Environmental Consulting suggests
the following actions to help promote alternative bird habitat on the property:
Plant native plant species to support native insects.
Retain tree stumps on the west side of the property which will provide future habitat for
cavity-nesting birds and will support insect populations.
Place a bird house in the yard to assist cavity-nesting birds.
For further guidance, the Migratory Bird Conservation Action for Projects to Reduce the Risk of
Take During the Nesting Season from the U.S. Fish and Wildlife Service is provided subsequently.
Please feel free to contact me with any questions you may have.
Sincerely,
Matt Tobler
Natural Resource Specialist, Certified Forester, Certified Ecologist
937 Mallard Drive, Ft. Collins, CO 80521 * (970) 224 -0851 * www.bluemountain1.net
Migratory Bird Conservation Actions for Projects to Reduce the Risk of Take
during the Nesting Season*
U.S. Fish and Wildlife Service (USFWS) Region 6, Migratory Bird Management
June 2014
Goal: Avoid take of migratory birds and/or minimize the loss, destruction, or degradation of
migratory bird habitat while completing the proposed project or action. Under the
Migratory Bird Treaty Act (MBTA) take is defined as “pursue, hunt, shoot, wound, kill,
trap, capture, or collect, or attempt to pursue, hunt, shoot, wound, kill, trap, capture or
collect” a migratory bird (50 CFR § 10.12). **
1. Determine if the proposed project or action will involve below- and/or above-ground
construction or habitat-altering activities, because recommended practices and timing of
surveys could differ accordingly.
2. If the proposed project or action includes a reasonable likelihood that take of migratory
birds will occur, then complete the project or those actions expected to take migratory
birds outside of their nesting season to the greatest extent possible. Examples of actions
that may take migratory birds include, clearing or cutting of vegetation, burning
vegetation, driving or parking equipment on vegetation that may harbor nesting birds, etc.
The primary nesting season for migratory birds varies greatly among species and
geographic locations, but generally extends from early April to mid-July. However, the
maximum time period for the migratory bird nesting season can extend from early
January through late August. Due to this variability, project proponents should consult
with the USFWS for specific nesting seasons of birds in your project or action area. As
early as possible please consult the USFWS in the planning stages of your project for
other input on conservation measures to avoid and minimize the take of migratory birds.
3. Complete all project activities that could result in migratory bird take outside the
maximum migratory bird nesting season (early January through late August) to the
greatest extent possible. If this is not possible, then avoid any habitat alteration, removal,
or destruction during the primary nesting season for migrator y birds (early April to mid-
July).
4. If a proposed project or action includes the potential for take of migratory birds and/or
the loss or degradation of migratory bird habitat, and work cannot occur outside the
migratory bird nesting season (either the maximum or primary nesting season), project
proponents should provide USFWS with an explanation for why work has to occur
during the migratory bird nesting season. Further, in these cases, project proponents also
should demonstrate that all efforts to complete work outside the migratory bird nesting
season were attempted, and that the reasons work needs to be completed during the
nesting season were beyond the proponent’s control.
5. Where project work must occur during the migratory bird nesting season, project
proponents should utilize a qualified biologist to survey those portions of the project area
937 MALLARD DRIVE, FT. COLLINS, CO 80521 ● (970) 224-0851 ● WWW.BLUEMOUNTAIN1.NET
during the nesting season (but prior to the project or action occurring) to determine if
migratory birds are present and nesting in those areas. These bird surveys should occur
no more than 7-10 days prior to when work actually begins on the project site. In addition
to conducting surveys during the nesting season, entities may also benefit from
conducting surveys during the previous nesting season. Such surveys will serve to
inform the likely presence of nesting migratory birds in the proposed project or work
area. While individual migratory birds will not necessarily return to nest at the exact site
as in previous years, a survey in the nesting season the year before the project or action
allows the company to become familiar with bird species and numbers present in the
project area well before the nesting season in the year of proposed action. Migratory bird
surveys also should be completed during the best timeframe for detecting the presence of
nesting migratory birds, using accepted bird survey protocols. USFWS Offices can be
contacted for recommendations on appropriate survey guidance. Project proponents
should also be aware that results of migratory bird surveys are subject to spatial and
temporal variability.
6. If no migratory birds are found nesting in proposed project or action areas immediately
prior to the time when construction and associated activities are to occur, then proceed
with your project activity as planned.
7. If migratory birds are present and nesting in the proposed project or action area, contact
your nearest USFWS Ecological Services Field Office and/or USFWS Regional
Migratory Bird Management Office for guidance on appropriate next steps to avoid and
minimize impacts to (and take of) migratory birds associated with the proposed project or
action. Although bald and golden eagles are protected under MBTA they are also
covered under BGEPA. Please consult USFWS if there are eagles or eagle nests in or
near your proposed project area ***.
* Note: these recommended conservation measures assume that there are no Endangered or
Threatened migratory bird species present in the project/action area, or any other Endangered or
Threatened animal or plant species, or any designated critical habitat for Endangered or
Threatened species present in this area. If Endangered or Threatened species or designated
critical habitat are present, or they could potentially be present, and the project/acti on may affect
these species or designated critical habitat for them, then consult with your nearest USFWS
Ecological Services Office before proceeding with any project/action.
** The Migratory Bird Treaty Act (MBTA) prohibits the taking, killing, possession, and
transportation, (among other actions) of migratory birds, their eggs, parts, and nests, except when
specifically permitted by regulations. While the MBTA has no provision for allowing
unauthorized take, the USFWS realizes that some birds may be killed during construction or
through other project activities, even if all known reasonable and effective measures to protect
birds are used. The USFWS Office of Law Enforcement carries out its mission to protect
migratory birds through investigations and enforcement, as well as by fostering relationships
with individuals, companies, and industries that have taken effective steps to avoid take of
migratory birds and by encouraging others to implement measures to avoid take of migratory
birds. It is not possible to absolve individuals, companies, or agencies from liability even if they
implement bird mortality avoidance, or other similar protective measures. However, the Office
937 MALLARD DRIVE, FT. COLLINS, CO 80521 ● (970) 224-0851 ● WWW.BLUEMOUNTAIN1.NET
of Law Enforcement focuses its resources on investigating and undertaking enforcement actions
against individuals and companies that take migratory birds without identifying and
implementing all reasonable, prudent, and effective measures to avoid that take. Companies are
encouraged to work closely with USFWS biologists to identify available protective measures
when developing project plans and/or avian protection plans, and to implement those measures
prior to/during construction or similar activities.
*** Also note that Bald and Golden Eagles receive additional protection under the Bald and
Golden Eagle Protection Act (BGEPA). BGEPA prohibits the take, possession, sale, purchase,
barter, offer to sell, purchase, or barter, transport, export or import, of any Bald or Golden Eagle,
alive or dead, including any part, nest, or egg, unless allowed by permit. BGEPA also defines
take to include “pursue, shoot, shoot at, poison, wound, kill, capture, trap, collect, molest, or
disturb,” 16 U.S.C. 668c, and includes criminal and civil penalties for violating the statute.
Further, activities that would disturb Bald or Golden Eagles are prohibited under BGEPA.
“Disturb” means to agitate or bother a Bald or Golden Eagle to a degree that causes, or is likely
to cause, based on the best scientific information available, (1) injury to an Eagle, (2) a decrease
in its productivity, by substantially interfering with normal breeding, feeding, or sheltering
behavior, or (3) nest abandonment, by substantially interfering with normal breeding, feeding, or
sheltering behavior. If a proposed project or action would occur in areas where nesting, feeding,
or roosting eagles occur, then project proponents may need to take additional conservation
measures to achieve compliance with BGEPA. New regulations (50 CFR § 22.26 and § 22.27)
allow the take of bald and golden eagles and their nests, respectively, to protect interests in a
particular locality provided that the USFWS finds that such take is compatible with the goal of
maintaining stable or increasing eagle breeding populations. However, consultation with the
USFWS Migratory Bird, Ecological Services, and Law Enforcement programs will be required
before a permit may be issued.