Document JryExOLqmK4383p4zeopjrD5O
To:
todd_willens@ios.doi.gov[todd_willens@ios.doi.gov]; Aurelia Skipwith
(aurelia_skipwith@ios.doi.gov)[aurelia_skipwith@ios.doi.gov]
Cc:
Ryan Yates (ryany@fb.org)[ryany@fb.org]
From: Jordan Smith
Sent: 2017-09-15T14:55:28-04:00
Importance:
Normal
Subject: NESARC follow-up
Received:
2017-09-15T14:56:01-04:00
NESARC Comments on Prioritization Methodology.PDF
NESARC Comments on Revised Proposed Rule on Revising Regulations for Petitions 5-23-2016.pdf
NESARC ITS Surrogate and Programmatic NOPR Comments.pdf
NESARC Comments on FWS Proposed Revisions to Mitigation Policy [6-13-16 FINAL].pdf
NESARC Comments on HCP Handbook [FINAL 8.29.16].pdf
NESARC Comments on Petitions NOPR - 9-18-15.pdf
NESARC Comments on Economic Impacts Analysis NOPR.pdf
NESARC Comments on ESA Compensatory Mitigation Policy [FINAL 10-17-2016].pdf
NESARC Comments on FWS Draft Policy on Volunary Prelisting Conservation Actions.pdf
NESARC Comments on Adverse Modification NOPR 10-09-14.pdf
NESARC Comments on CCAA Proposed Rule and Policy [FINAL] 07-05-2016.pdf
NESARC Comments on CH Exclusion Policy 10-09-2014.pdf
NESARC Comments on Critical Habitat Procedures NOPR 10-09-2014.pdf
NESARC Comments on Draft Policy on Interpretation of Significant Portion of Range 3-8-12.pdf
Revisions to ESA Regulations and Polcies 2012-2017.pdf
Aurelia and Todd,
Thanks taking the time to meet with us earlier this week to chat about efforts on ESA.
As promised, attached is a table that tracks ESA regulatory actions from 2012 through 2017. Also included are each of the sets of comments that NESARC filed with the Administration on these actions. (As I mentioned in the meeting, regulatory activity has kept us very busy in recent years!)
We would be happy to answer any questions or provide additional information as you review these materials. Additionally, as we mentioned in the meeting, please consider NESARC a resource as you engage in future activity on ESA matters.
Look forward to talking with you soon.
Best, Jordan
Jordan A. Smith Executive Director, NESARC Van Ness Feldman LLP
(202) 298 1914 | jas@vnf.com | nesarc.org
NESARC
NATIONAL ENDANGERED SPECIES ACT
REFORM COALITION