PZP = Roundups = wild horses living behind bars

PM PZP Truth

Spin as they may the TRUTH always shines! This is why the Fish Creek wild horses ended up behind bars at the BLM holding facility. If the BLM and PZP Advocates had not pushed to PZP the mares they would have been left alone–wild & free: http://magicvalley.com/news/local/blm-holds-off-on-plan-to-return-mustangs-to-range/article_36ed5800-bb78-11e4-82d9-879763fdc267.html

(Top photo by Patty Bumgardner no copyright on photo or meme. Sharing for educational purposes only)

The truth

PZP EPA Sterilisant

URGENT: Get your comments in by midnight against using PZP on the Onaqui mares in Utah

 

Send in your own comments before midnight against giving the restricted use pesticide, PZP, made from slaughterhouse pig ovaries today! Email them to blm_ut_cedarmt_onaqui@blm.gov

Marybeth Devlin’s extensive comments will give you some ideas but it’s important to send in your comments using your own words. Keeping it short and sweet is fine. The point to get across is that you don’t what them to be drugged up with an EPA pesticide that sterilizes after multiple use, no roundup and no removal. Request BLM incorporates holistic management for successful management of wild horses on public land.

Comment by Marybeth Devlin

Via email: blm_ut_cedarmt_onaqui@blm.gov
March 6, 2015
Bureau of Land Management
Salt Lake Field Office (SLFO)
2370 South 2300 West
Salt Lake City, UT 84119

Attn: Pam Schuller, Environmental Coordinator
Project Name: Onaqui Mountain Wild Horse Fertility Control Plan EA

Document: Environmental Assessment

NEPA ID: DOI-BLM-UT-W010-2014-0021-EA
Dear Ms. Schuller:

I have reviewed the subject EA and associated documents regarding the plan to continue, and more aggressively apply, the contraceptive Porcine Zona Pellucida (PZP), also known as ZonaStat-H, on the fillies and mares of the Onaqui Mountain Wild Horse herd. I am submitting substantive comments and new information that SLFO would do well to consider. Other information is discussed that you already know, or should know, but on which you have failed to act. For ease of reference, below are the links to the …

News Release

http://www.blm.gov/ut/st/en/info/newsroom/2015/february/blm_seeks_public_comment0.html

Environmental Assessment — 2015

https://www.blm.gov/ut/enbb/files/Onaqui_Fertility_Control_EA_2_18_15.pdf

Cedar Mountain and Onaqui Mountain Wild Horse Herd Management Areas Capture, Treat and Release Plan Fertility Control with Limited Removal — 2012

http://www.blm.gov/style/medialib/blm/ut/natural_resources/wild_horses_and_burros/cedar_onaqui.Par.87472.File.dat/FinalEA.pdf
NEPA-RELATED ISSUES
Public Scoping — Notice Buried — No News-Release — Only 2 Comments

The EA claims that, prior its publication, the required public-scoping was conducted. However, instead of issuing the standard news-release, BLM restricted notification of the scoping-period to a posting on the “Utah BLM Environmental Notification Bulletin Board” (ENBB). However, how would the public know to look on this ENBB, when it is not even one of the options on Utah-BLM’s online “Information Center”?

Not surprisingly, the EA reports that only two comments were received, both in support of BLM’s intensified fertility-control plan and for “managing wild horses on the range within AML.” And who were the two parties that submitted comments in support of birth-control for the Onaqui wild horses and for keeping them within AML?

The first was Iron County, whose commissioners had threatened last July — following the Cliven Bundy standoff — to round up wild horses themselves. Advised that doing so was illegal, Commissioner Dave Miller then co-sponsored a resolution for the states to take over management of the wild horses and burros.

http://www.deseretnews.com/article/865606266/Rural-Utah-will-take-wild-horse-fight-to-New-Orleans-Washington.html?pg=all

The second comment was from the State of Utah Public Lands Policy Coordination Office, an activist-agency whose goal is to “retake ownership” of Federal land. Here’s the link to an article about the PLPCO, aptly titled “The Wild Bunch”.

http://www.cityweekly.net/utah/the-wild-bunch/Content?oid=2159976

How curious that these entities were the only ones who were successful in learning about the scoping period. Did BLM staff alert them to check the ENBB — and where to find it?

What the inadequate number of scoping-comments evidences, is that BLM-SLFO did not provide proper notice but instead, buried that notice where it where it would be hard to find. There are many wild-horse advocacy-organizations that certainly would have submitted comments concerning SLFO’s proposed management-plan for the beloved Onaqui mustangs — if they had known the scoping period was open.

Corrective Action: SLFO needs to restart this process. Re-open the scoping period and properly notify the public. SLFO needs to compile an ample number of diverse comments. The Wild Horse and Burro Program is national in its constituency. Input regarding its management cannot be limited to a few local anti-wild-horse entities.

Public-Comment Period for the EA — Reduced 50 Percent

As if the secretive posting of the scoping notice were not bad enough, SLFO is providing only 14 days for comments on this EA. The standard period is 30 days. By shortening the comment-period by half, SLFO appears to be limiting public-input for a second time — now at the EA-stage of the process.

Corrective Action: This EA must be rescinded until SLFO has completed the re-opened scoping process. Then, when SLFO issues a revised EA per the scoping, a full 30-day comment-period must be offered for public-input. However, to save everyone’s time, the best action is to select the “No Action” alternative, which appears to be the correct path, as is evident by an analysis of the facts.
BLM’S PLANS INTENSIFIED USE OF PZP ON THE ONAQUI MOUNTAIN HERD
BLM’s Proposed Action

The EA seeks to implement a fertility-control plan through the year 2020 to limit the Onaqui herd to 160 wild horses. The current AML ranges from 121 to 210 horses; thus, 160 is below the midpoint between the low and high bounds. The EA says that the short-term goal is to reduce population-growth to “less than seven percent” while the long-term goal is to reduce the need for roundups and removals. To achieve this reduction, SLFO would use the one-year formulation of PZP, and field-dart “select mares.” The darting would be conducted on foot, the EA says, but then clarifies that 4×4 vehicles and off-highway vehicles (OHVs) would be used to “access” the Onaqui HMA. Bait-trapping would be used as deemed necessary.

This is not the first time that Onaqui fillies and mares have been subjected to PZP. Previously, however, the formulation used was PZP-22.

How the Plan Would Work

Starting in late March or early April 2015, SLFO staff would begin vaccinating yearling fillies (which BLM refers to as “mares”) with a “primer” PZP-dose. About 30 to 60 days after that initial injection, staff would administer a second “booster” shot to the fillies. The need to give the second injections within a certain time-frame suggests the fillies might need to be gathered and held captive during that interval.

From then on and for the next five consecutive years, “one-year PZP” inoculations would be given. Once a filly-becoming-a-mare reached the age of 6, PZP would be suspended until she produced “a live foal,” after which she would be contracepted “for the remainder of her natural life.” Mares that had previously been vaccinated with PZP — which was the PZP-22 formulation — would receive annual boosters in the time-frame of November through February, but would be subject to dosing at any time of year.

The EA is ambiguous regarding how treated mares would be “identified” for staff-use in the field. Reference is made to a “photo database” and to identification “by color, face, leg, and coat pattern markings.” But mention is also made of mares to be “individually marked,” and that a “number of the horses have a hip brand as well as neck brands from previous PZP treatments.” Thus, it is possible that SLFO will disfigure the Onaqui fillies and mares with huge freeze-marks on the hip for staff’s administrative convenience. If so, persons visiting the HMA will have their experience spoiled by the hideous four-inch-high brands on the fillies and mares’ coat.

The “No Action” Alternative

As required by NEPA, BLM presents a “No Action” option. Per this alternative, SLFO would defer the plan to gather and contracept the Onaqui herd to a later time. Until then, SLFO would continue to monitor the HMA’s vegetation and the herd’s population.

The “No Action” alternative is actually the best option. Suspend contraception and let natural processes function as they will. Allow a natural ecological balance to revive and thrive in the Onaqui Mountain HMA.
SAY “NO” TO PESTICIDES
PZP — A Pesticide that Is Also a Bio-Hazard

It is inappropriate to treat our wild horses as pests. But that is exactly what BLM does when it injects wild mares with PZP. Rather than being a medicine, PZP — also known as ZonaStat-H — is classified as a pesticide, a contraceptive used on horses labeled “pests.”

Further, PZP is a biohazard, as reflected in the warnings, excerpted below, which are included in the Environmental Protection Agency’s fact-sheet.

Personal Protective Equipment requirements include long sleeved shirt and long pants, gloves and shoes plus socks to mitigate occupational exposure.

A warning that pregnant women must not be involved in handling or injecting ZonaStat-H and that all women should be aware that accidental self-injection may cause infertility.

http://www.epa.gov/pesticides/chem_search/reg_actions/pending/fs_PC-176603_01-Jan-12.pdf

Meta-Analysis Reveals the Risk of Sterilization from ZP Contraceptives

A recent study-of-the-studies — that is, a meta-analysis — was performed of the research-findings with regard to different contraceptive methods. Among the drugs analyzed were various zona pellucida (ZP) formulations. As it turns out porcine zona pellucida (PZP), from slaughtered pig-ovaries, is not the only ZP contraceptive in use. For instance, a particular ZP vaccine was derived from the ovaries of possums.

The meta-analysis disclosed that ZP contraceptives often result in sterilization, which appears to be caused by ovarian dystrophy, destruction of oocytes in all growing follicles, and depletion of resting follicles. Here are some salient excerpts [with emphasis added] that give rise to concern regarding ZP-contraceptives:

The irreversibility associated with immunization using ZP posed a major hurdle in the development of ZP based contraceptive. While irreversibility is not a major concern in case of wildlife management where long term infertility is often desirable. Therefore further development in this area resulted in production of various marketed products playing an imperative role in wildlife management.

Further studies revealed that the infertility induced in immunized female rabbits was irreversible which could not be restored even after the administration of exogenous gonadotropins. Histological examination of ovaries showed the destruction of oocytes in all the growing follicles along with the depletion of resting follicles. This observation indicated that the infertility was a consequence of ovarian dystrophy rather than inhibition of sperm-oocyte interaction.

The immunization of female bonnetmonkeys was carried out using purified porcine ZP3. High antiporcine ZP3 antibody titers were formed and all the animals were rendered infertile. Only 50% of the animals could regain fertility after the decline in antibody titers.

Significant curtailment of fertility was also observed by using recombinant possum ZP3 in grey kangaroos. Though the results were quite exciting, histological examination of ovaries of immunized animals revealed the presence of atretic follicles with degenerating oocytes.
Saunders Comprehensive Veterinary Dictionary, 3 ed. explains what an “atretic follicle” is:

Definition: atretic follicle — an ovarian follicle in an undeveloped state due to immaturity, poor nutrition or systemic disease; manifested by prolonged anestrus.

http://medical-dictionary.thefreedictionary.com/atretic

It is reasonable to conclude that PZP, whether Native PZP or PZP-22, likely has a similar effect on the ovaries, oocytes, and follicles of wild mares. Thus, permanent loss of fertility — even after one inoculation — can result.

Important: The meta-analysis’ finding that “… infertility was a consequence of ovarian dystrophy rather than inhibition of sperm-oocyte interaction” appears to disprove the theory posited by ZooMontana, which supposed that PZP “antibodies then bind to eggs in the mare’s ovaries and effectively block sperm binding and fertilization …” (cited in the EA). The new findings show that PZP works not by blocking the sperm but by degenerating the ovaries. Given these findings, PZP should be abandoned for use in wild horses.

The meta-analysis report can be accessed at the link below.

http://downloads.hindawi.com/journals/bmri/2014/868196.pdf

Earlier Meta-Analysis Disclosed PZP Side-Effects

The meta-analysis linked below was published in the journal Reproduction. Studies of the side-effects of different wildlife contraceptives, including PZP, were reviewed. [Once on the site, page down to the sidebar on the right of your screen next to “Abstract” and click on “Results” and then on “Discussion.”]

http://www.reproduction-online.org/cgi/content/full/139/1/45

Listed below are the findings with regard to PZP:

1. Males lose body condition while the oft-claimed improvement in female body condition did not hold up.

2. Females experienced increased irritability, aggression, and masculine behavior.

3. Mares remained sexually active beyond the normal breeding season and had more “estrus events.”

4. The possibility of “selecting for immuno-compromised individuals” is raised.

5. Finally, the analysis questions the supposed benefit of mares living much longer than their normal life expectancy.

With regard to Finding Number 4 above, by continuing and even intensifying the use of PZP, SLFO could be selecting for immuno-compromised horses. If a disaster were to strike the Onaqui Mountain herd, fertility would need to be quickly restorable. PZP would work against saving the herd if it experienced a stochastic event.

With regard to Finding Number 5 above, interestingly, the EA cited PZP’s correlation with extended longevity of mares as if it were a benefit. Yet, for purposes of genetic sustainability, increasing the number of long-lived — yet sterile — mares would be disadvantageous to a herd, especially one like Onaqui, which is so low in population already.

Potential Adverse Effects of PZP on a Developing Embryo or Fetus

Recall the EPA’s warning that pregnant women must not be involved in handling or injecting ZonaStat-H. If a mare is administered PZP when she is pregnant, might not her unborn foal be adversely affected by the drug even if the pregnancy itself continued? If the embryo or fetus were female, might the vaccine negatively impact the baby’s reproductive system pre-birth? Might her developing ovaries experience dystrophy? Might she become masculinized as a result? Might she never produce foals, thereby eliminating any genetic contribution on her part? If the embryo or fetus were male, might his reproductive system be affected, considering that the testes correspond to the ovaries?

Until these questions can be answered definitively, PZP should not be used on wild horses, whose numbers are already so low that they could qualify as an endangered species.

Potential Adverse Effect of PZP on Yearling Fillies

At one year of age, fillies are just reaching puberty. Is it ethical to subject them at that tender age to a vaccine that will wreak havoc with their ovaries, perhaps sterilizing them permanently? Is it right to masculinize a herd’s fillies?

PZP — Unintended Consequences and Social Disruption

BLM’s proposed action would treat both fillies and mares with the Porcine Zona Pellucida (PZP), a 95-percent-effective contraceptive pesticide. This misguided plan endangers the Onaqui Mountain herd’s long-term survival. The PZP contraceptive is not without risk and can have unintended consequences, such as:

If fillies and mares are in excellent health and condition at the time they are treated, PZP can cause too strong an immune-response, resulting in long delays in restoring fertility or outright sterilization after even the initial treatment. Multiple injections are likely to result in irreversible loss of fertility. That could be one reason why PZP is not used in humans. Note that SLFO intends to administer multiple, consecutive injections.

Ironically, PZP works less well in mares that are in ill health or poor condition — they are likely to conceive despite PZP treatment. Thus, the fittest mares don’t reproduce while the least fit ones — the immuno-compromised — often do. Ironically, PZP selects for horses with a weak immune system.

PZP does not prevent ovulation and does not change mare behavior toward stallions. As a result, mares suffer repeated, stressful, futile breedings while the band-stallions have to battle continuously to keep their always-in-estrus mares.

Out-of-season pregnancies and births occur due to the wearing off of the drug at inopportune times. Foals born at the wrong time of year may not survive, and the mares’ health may be endangered as well.

There are reports of mares treated with PZP becoming masculinized. Previously, the reason for this effect was unknown. But in light of the new finding that PZP causes ovarian dystrophy, that would explain the masculine behavior. Much-less-than normal amounts of estrogen would be produced by the mares’ withered ovaries. Ironically, even though PZP is touted as a non-hormonal contraceptive, it appears to result in hormonal imbalance.

Mares on PZP are less faithful to their family-band, changing allegiance over and over. Such chaos disrupts normal behavior and band-membership continuity. Band-fidelity is crucial to the survival of its members, particularly the foals.

The EA indicates that BLM is aware of these adverse effects. However, by merely describing the findings of various studies, and by failing to abide by the findings that disagree with the proposed plan, BLM shows itself to be ignoring the science.

Body-Condition Improvement Could Lead to Gender-Ratio Imbalance

The EA cites a study that noted the improved body-condition of mares whose reproduction had been curtailed via PZP. This effect is cited as if it were a good thing. However, a study of mares’ body-condition and their subsequent foaling-record, showed that mares in good or improving condition tend to foal colts, while mares in poor or declining condition tend to foal fillies. The difference is significant. The researchers found that 97 percent of mares who were losing condition at time of conception foaled a filly, while 80 percent of mares who were gaining condition when they conceived foaled a colt. Therefore, PZP may correlate with an improvement in body-condition but lead to a lopsided gender-ratio favoring males

http://www.australianwesternhorseshowcase.com.au/Features/nz-study.html

Coincidentally, a visitor to the Onaqui HMA in 2013 remarked on the obvious gender-imbalance of the horses. “It seemed to me that the sex ratio of the herd was quite skewed with many more males than females ….”

http://mollyshoofjourney.blogspot.com/2013/07/my-visit-to-onaqui-mountain-mustangs.html

However, other studies have not found that PZP helped mares be in better body-condition. Those studies found a decline in body-condition for stallions with no improvement in body-condition for mares.

Slow Return to Fertility Acknowledged in EA

The EA cites two studies, both by the developer of PZP, that reported the average time it takes PZP-treated mares to recover their fertility. The mean is 3.7 years, but could be as long as 8 years. Because SLFO plans to contracept fillies and mares for five consecutive years, if those mares do regain fertility, they would, on average, be about 10 years old, but they could be as old as 14. This long delay could result in their perishing of natural causes before ever giving birth.

The EA goes on to note, apparently with curiosity but not concern about the risk of sterilization:

The same study demonstrated that mares treated from one to five consecutive years returned to fertility, but mares treated for seven consecutive years did not. There could be some differences seen with the Onaqui horses as they have received the experimental drug PZP -22 and the mares in the study on Assateague Island have been given just the liquid form or ZonaStat–H.
NATURAL SELECTION
Pumas instead of PZP

What population control is superior to PZP? Pumas. There can be no “thriving natural ecological balance” without apex predators. Mountain lions, wolves, and other such carnivores effectively control wild horse populations by targeting the weak, the sick, the young, and the old. Predators ensure survival of the fittest, as Nature intends. Therefore, the best approach is for BLM to concentrate on promoting and then protecting native predators to permit natural control of the wild horse population on the range.

A puma-conservation program would tend to strengthen the herd, and it would save costs. Concerned livestock operators and nearby residents could use guardian-dogs to protect their animals. There are several specialty-breeds that have been developed just for this purpose, and they are reportedly effective. BLM might even consider buying a number of trained guardian-dogs which, per a neighboring rancher’s request, could be placed with herds or flocks experiencing attacks.

Mountain Lions Are Effective Population-Control Agents for Wild Horses

Many studies have established that mountain lions prey on wild horses more frequently than previously believed. Canadian biologists found that cougars tended to kill younger animals, especially when preying on feral horses. Nearly all of the cougars’ predation-events (86%) involved animals less than 2 years old. That would take care of those six unwanted foals.

http://sci-northern.ab.ca/wp-content/uploads/2010/12/CougarKillRateandPreyComposition.pdf

In an interview with the Billings Gazette, the above study’s lead researcher, Kyle Knopf, described observing a cougar that brought down a feral horse in less than 30 yards from where it attacked.

http://billingsgazette.com/lifestyles/recreation/article_d9cf046b-2c47-539f-a267-972e72e570b6.html

Other research confirms that mountain lions are quite capable, all by themselves, of keeping wild horse populations in check. Longitudinal studies have shown that mountain lions alone successfully controlled the wild-horse population of California’s Montgomery Pass Wild Horse Territory (Turner and Morrison, 2001) and the Nevada Wild Horse Range (Greger and Romney, 1999).

Interestingly, mountain lions also used to keep the Pryor Mountain herd in check until BLM had the lions exterminated in order to experiment in managing the herd using a contraceptive pesticide.

Here is more information in regard to the research on mountain lion predation on wild horses:

The Montgomery Pass Wild Horse Territory, on the California/Nevada border, has had its ppopulation managed by cougars alone. An eleven-year study concluded that the growth of this herd was limited by cougar predation. In fact, the population actually decreased over the course of the research.

http://www.jstor.org/discover/10.2307/3672527?uid=2129&uid=2&uid=70&uid=4&sid=21101018535373

The Nevada Wild Horse Range (current designation) averaged negative population growth due to cougar predation from 1989 to 1998 (Greger and Romney, 1999).

https://ojs.lib.byu.edu/ojs/index.php/wnan/article/viewFile/941/1745

Per The Cloud Foundation, the Pryor Mountain herd averaged no population growth over a four-year period due to predation by mountain lions. Only when those lions were killed — so that BLM could continue practicing management of the herd with PZP — did the wild-horse population begin to grow.

Healthy Predators, Healthy Ecosystems

Minimum feasible management means letting natural selection do its job. Mountain lions, wolves, bears, and coyotes should be allowed to carry out their role of population-control agents. Predators will cull the weak, and a thriving natural ecological balance will ensue. Conservation Researcher Dr. Corey Bradshaw emphasizes “… just how important predators are for healthy ecosystems. Long story short – if your predators are not doing well, chances are the rest of the ecosystem is performing poorly.”

Due to pressure from livestock and hunting interests that mistakenly view predators as pests, it has been the Federal government’s practice to exterminate native predators outright or to allow them to be hunted on a massive scale. That policy is wrong. Predators function to keep the ecosystem in balance. Without them, prey species decline, as do the forage-production species on which the prey-animals feed. Dr. Bradshaw warns: “Without predators, our feeble attempts to conserve ecosystems are doomed to fail.” Here’s the link to his timely article:

http://conservationbytes.com/2012/11/21/essential-predators/#more-8024

Predator Protection

The HMA should be a safe-haven for predators, which will serve as wild-horse population-control agents.

There can be no true “thriving natural ecological balance” without predators. Therefore, BLM should ensure the protection of native predators, instituting a prohibition on hunting them. Conservation measures will work to enable the right number of predators to establish themselves. Large carnivores will keep the wild-horse population in check. Such an approach would favor survival of the fittest, the best genetic adaptations, and keep the herd-populations in equilibrium with minimal human-interference, just as the Wild and Free-Roaming Horses and Burros Act envisioned. Predators are the “no-cost” option.

Recommendations: SLFO should concentrate on promoting and then protecting native predators to enable natural control of the wild-horse population on the range. A puma, bear, wolf, and coyote-protection program should be implemented. BLM should collaborate with the Utah Division of Wildlife Resources to prohibit hunting of predators in the HMA. Concerned livestock operators and residents of the surrounding area should be advised to use guardian-dogs to protect their animals. There are several specialty-breeds that have been developed just for this purpose, and they are reportedly effective. Protecting one’s herd is just part of the cost of doing business.
GENETIC HEALTH AND LONG-TERM VIABILITY
Onaqui Herd — Gene-Pool Changed by Introduction of Mustangs from Other Herds

The EA describes and later reiterates how SLFO has intervened over the years to inject new bloodlines into the Onaqui herd’s gene-pool:

To ensure the genetic diversity of the herd, the Salt Lake Field Office in 2005 released approximately 10 stallions and 10-15 mares from other HMA’s outside the state and from within the state. Since the large release in 2005, we have every 3-4 years released another 3-5 horses into the HMA.

Past actions that have affected the genetic diversity of the herd are: from 2005 to 2011 the SLFO has released horses from other HMA’s to ensure the genetic diversity of the herd is not lost and/or increased. In 2005 there were approximately 10 stallions and 15 mares released. Since then we have also released 3–5 mares every 3–4 years. The released horses came from other states as well as other HMA’s within Utah.

These practices evidence that SLFO’s population-management-approach is a failed strategy. If transplantation / translocation of wild horses from other HMAs — and even from other states — is necessary to support genetic viability, then the Onaqui herd is not genetically self-sustaining but is instead BLM-sustaining. Thus, SLFO is in violation of the Act and its implementing regulations by failing to provide for a self-sustaining herd.

The solution is to allow a higher population, per scientific guidelines.

BLM — Too Involved in Selecting Horses to Go, Horses to Stay

Natural selection is the way a wild-horse herd should be molded. Human-directed selection of which horses will be allowed to breed, when, and how often, interferes with natural processes. Therefore, it is cause for concern that the EA states

In the future SLFO would be proposing to do selective removals with bait trapping. While doing the bait trapping we may gather horses that we don’t want to remove. Salt Lake Field Office staff will be on site to determine if the horses caught in the trap should be removed or not.

Thus, BLM is essentially running a breeding program instead of letting Nature determine those horses best-suited for survival. This is not — and should not be — BLM’s role. Further, the projection of future removals, in spite of the ongoing, massive contraception that SLFO proposes to use on this herd, evidences that PZP does not prevent wild horses from losing their freedom.

Genetic Analysis of the Onaqui Mountain Herd

Per Section 6.1 “References Cited,” the most recent genetic analysis on the Onaqui Mountain herd was conducted seven years ago — in 2008. There have been two gathers with removals and fertility-control actions taken since then. Now, SLFO is planning intensified contraception in the absence of genetic data.

Dr. Cothran’s 2008 report was not included as an attachment, and the EA is silent as to his findings. The fact that SLFO has repeatedly imported wild horses from other HMAs and other states to increase the Onaqui herd’s genetic diversity suggests that Dr. Cothran’s analysis showed a decline in genetic variability. In such cases, Dr. Cothran typically recommends an increase in the population. However, if resources do not permit an increased population, then injecting new bloodlines is a last-ditch resort. Although the resources of the Onaqui Mountain HMA should easily accommodate a viable population, SLFO has opted to truck in horses from other HMAs. Surely this is an example of maximum meddling instead of minimal management.

Recommendations: SLFO needs to conduct a 100-percent evaluation of the Onaqui Mountain herd’s genetic health per DNA samples tested by the Equine Genetics Lab. Per those results, and per guidance from Dr. Cothran, and per consultation with wild-horse-and-burro advocates, BLM must then develop best management practices to restore and maintain gene-pool diversity via a robust population-level. An AML is valid only if it provides for an optimal population — one that can easily self-sustain its genetic viability and bounce back from random catastrophic events. Saying that the Onaqui herd must be kept “within AML” is not a meaningful statement because the current AML does not provide for a self-sustaining, genetically-viable herd. Therefore, BLM has no valid justification for contracepting any fillies or mares in the Onaqui HMA. It is not scientifically valid to contracept in ignorance — without regard to the herd’s genetics. Submitting DNA samples after-the-fact is out of order. The correct order is:

Sample first.
Sample large — 100 percent
Sample regularly — every year
Test samples.
Manage per test-results.

There should be no management-decisions made without knowledge of the genetic profile for each herd-member.

No Impacts to Genetic Diversity?

The EA makes the following claim about the effects of its PZP-plan: “No possible impacts to the genetic diversity of the herd as all horse would have a chance to reproduce.” A chance? SLFO evidently has not thought through its proposal because the PZP-plan would likely diminish genetic diversity to the point of causing the Onaqui herd to go extinct.

Half of wild foals perish before their first birthday (Gregg et al., 2014). So, the chances are 50:50 that a mare restricted to one live foal would lose her genetic contribution. If her foal were a colt, and if he did survive to adulthood, he might never sire an offspring, resulting in both his own and his dam’s genetic contribution being zero. If the foal were a filly, and if she managed to survive to adulthood, she might well already be sterile from multiple, consecutive PZP injections, resulting in both her own and her dam’s genetic contribution again being zero. At the herd-level, genetic diversity would decline steadily, as has been the case for years now. BLM’s plan constitutes management-to-extinction.

BLM — Wrong Assumptions regarding Wild-Horse Reproduction

The EA assures itself that …

Due to the relatively long time between generations (~10 years) and the long reproductive life-span of individual horses, the loss of genetic material from the herd is relatively slow and able to be monitored and mitigated by management.

Equine reproduction is indeed a slow process. If she’s lucky, a mare may produce one foal a year. Living in the wild, a mustang-mare will likely lose that foal before it reaches its first birthday. She herself may perish. All that is bad news for genetic viability at the herd-level. Hence, an optimal population is necessary. A self-sustaining herd should not need monitoring and mitigation by management.

AMLs Should Provide for Better Than MVP, but Must Provide for At Least MVP

BLM is required by law to manage the wild horses in self-sustaining herds. To be self-sustaining, a herd must be genetically viable. To achieve viability, sufficient population is necessary.

A scientifically-valid AML needs to comply with the recommendations of the International Union for Conservation of Nature (IUCN) regarding minimum-viable population (MVP) for equids. An “appropriate management level” (AML) should have a baseline — a starting point — of at least 2,500 horses. This level is the recommendation of the IUCN, the world’s oldest and largest global environmental organization. The IUCN is a neutral forum for practical solutions to conservation challenges and a leading authority on the preservation of genetic diversity in wild equids, including feral horses and burros. The IUCN notes that the selective pressures wild equids have endured in the wild are likely shaping them genetically to be hardy stock that could prove useful as a genetic resource.

http://data.iucn.org/dbtw-wpd/edocs/1992-043.pdf

Because neither the present AML nor the most-recent population-figure reaches the minimal threshold of 2,500 individuals, the Onaqui herd is under-populated. The number of horses must be increased accordingly.

Onaqui HMA — Utah — AML, and Acres per Wild Horse — Current

AML: 121 to 210 — Below minimum-viable population

BLM acres: 206,878 — which is approximately 323¼ square miles

Acres per wild horse: 1,063 – 1,610 — about 1⅔ to 2½ square miles per horse
Onaqui HMA — Utah — AML, and Acres per Wild Horse — Recommended

AML: 2,500 — Meets minimum-viable population per IUCN

BLM acres: 206,878 — which is approximately 323¼ square miles

Acres per wild horse: 83 — about 8 horses per square mile

Restore Original Onaqui Mountain Herd Area

The current HMA was carved out of a much larger herd area (HA). In that process, BLM took away 168,969 acres of wild-horse habitat. The HA needs to be reinstated as Onaqui herd habitat. The restored acres will easily support the needed increase in herd population.

Restored Herd Area acres: 375,847 — which is about 587¼ square miles

IUCN-size minimum population: 2,500 wild horses

Acres per wild horse: 150 — about 4 horses per square mile

BLM’s National Authorized Livestock AUMs

But can a restored HA of 375,847 acres sustain 2,500 or more wild horses at 150 acres per horse? Can the current HMA of 206,878 acres sustain 2,500 or more wild horses at 83 acres per horse? BLM’s approach to authorizing appropriate levels of livestock-grazing suggests the answer to both questions is “Yes”.

Below are the National statistics for authorized commercial livestock-grazing on BLM lands per animal-unit months (AUMs). Note the stocking rate: One cow or calf per 38 acres.

157,000,000 acres of public lands on which BLM allows cattle

1,033,333 cow+calf pairs that BLM permits to graze = AUMs annualized

2,066,666 cow+calf pairs per typical 6-month permit = annual AUMs x 2

4,133,332 cows and calves = pairs x 2

38 acres per cow or calf

PRINCIPAL USE
HMAs Must Be Managed Principally for Wild Horses and Burros

HMAs are wild-horse habitat-zones. Wild horses must enjoy principal use of their HMAs. This requirement is stated plainly in the Wild and Free-Roaming Horses and Burros Act, which stipulates that their land is to be “devoted principally but not necessarily exclusively to their welfare ….” Thus, HMAs do not necessarily have to be managed exclusively for wild horses … although they can be. However, HMAs must be managed principally for the welfare of our heritage-horses.

Moreover, multiple-use does not mean every-conceivable-use. Incompatible uses can be excluded, as Secretary Jewell testified during her Senate hearing after being nominated. Some examples of incompatible uses appear obvious — mining and off-road vehicles. HMAs should be designated “no surface occupancy” (NSO) areas — to preserve aesthetic and recreational values and to avoid disturbing the horses’ natural behavior. HMAs should also be declared “off-limits” to off-highway-vehicles (OHVs) — to protect the peace-and-quiet of the range and the cleanliness of the ambient air.

Onaqui Mountain HMA is not being managed according to the Law because the wild horses are not allotted principal use of their habitat. Livestock — like locusts — devour the HMA’s resources. The wild horses have been displaced by encroaching livestock.

This inversion must be righted, and SLFO must employ the right mechanisms to do so. First, SLFO needs to rescind this EA. Then, it must amend the Land-Use Plan (LUP), Resource Management Plan (RMP), the Final Multiple-Use Decision (FMUD), and the Herd Management Area Plan (HMAP) to conform with the Law.

Disproportionate Allocation of Forage Must Be Corrected

What is wrong with this picture?

12,097 — Monthly grazing units (AUMs) allotted to livestock in the Onaqui HMA

2,252 — Maximum AUMs allotted to wild horses in the Onaqui HMA

Livestock have been awarded nearly 5½ times more grazing slots than the wild horses have been within the HMA. (Data on livestock AUMs found on pdf-page 17 of the 2012 Cedar Mountain and Onaqui Mountain Wild Horse Herd Management Areas Capture, Treat and Release Plan.) This proportionment is obviously inverted. It must be corrected. The Onaqui wild horses must receive the majority of the grazing slots — the animal unit months (AUMs) — within their HMA.

Authorized v. Actual Livestock Use

BLM may argue that actual livestock use is lower than authorized or permitted use. But because actual use is whatever the permit-holders report on Form 4130-5, and because BLM essentially takes the permit-holders’ at their word and bills accordingly … eventually … after-the-fact … maybe … or maybe not — see Bundy, Cliven — the actual-use number is unverified and likely grossly under-reported.

And what has Mr. Bundy been up to lately? Since the Federal authorities backed down, he has “really enjoyed some liberty and freedoms out here.” Translation: He continues grazing his cattle on the same public lands where he hasn’t paid grazing fees in 20 years. Reportedly, those unpaid fees are now up to $1,200,000.

http://www.washingtontimes.com/news/2014/dec/29/rancher-cliven-bundy-still-grazing-his-cattle-on-d/?page=all

Actual Grazing Use Report — Form 4130-5

As alluded to above, permittees are required to submit an annual report of how many livestock they put out on their respective allotments and for how long. Form 4130-5 “Annual Grazing Use Report” is used for this purpose. It’s a one-page document that BLM estimates to take 15 minutes to complete “… including the time for reviewing instructions, gathering and maintaining data, and completing and reviewing the form.”

http://www.blm.gov/style/medialib/blm/noc/business/eforms.Par.2064.File.dat/4130-005.pdf

http://www.gpo.gov/fdsys/pkg/FR-2014-08-22/html/2014-20049.htm

Form 4130-5 is the basis on which BLM bills the permit-holders. It is also the basis for the claim of reduced-use. Thus, grazing-use is a self-reporting, self-certifying system that is rarely verified. The ease with which permittees could game the system is obvious. Consequently, the veracity of the reports is suspect.

Bundy-Supporting Permittee Grazed His Livestock beyond Authorized Use

In neighboring Nevada, permit-holder Kevin Borba, whose allotment includes land inside the Fish Creek HMA, engaged in unauthorized livestock-grazing “consistently for six months” outside the permitted use. He had his cattle out there year-round. He owes $29,410.62 in fees and fines for willful trespass, but has subsequently sued BLM over the loss of his “rights” and to stop BLM from returning any wild horses to the range following the recent gather.

Such abuses by permittees are likely widespread. Cliven Bundy and Kevin Borba are not alone in this regard. Utah has its share of rogue-ranchers too, as events last summer demonstrated.
POPULATION ESTIMATES
Historical Perspective on the Onaqui Herd’s Foaling-Rate

A Google-search to find background information on the Onaqui Mountain herd happened across an entry by kbrhorse.com. The article posted at the kbr site mentioned that, in 1991, a population-survey had been conducted. That census counted 169 horses — 158 adults and 11 foals. These results suggest a foaling-rate of 6½ percent.

http://www.kbrhorse.net/wclo/onaqui.html

No PZP was used back-in-the-day, yet the natural birth-or-survival rate was below SLFO’s goal for today’s Onaqui herd. Moreover, the herd has been contracepted since 2005 with powerful and long-lasting drugs. Yet, SLFO continues to estimate its population per growth-rates that are many times higher than was the case without the drugs.

Longitudinal Study Demonstrates Growth-Rate of Five-to-Ten-Percent

The International Society for the Protection of Mustangs and Burros (ISPMB) recently completed a 14-year study of wild-horse population-growth. The ISPMB herds have been managed per the “hands-off” minimum-feasible level specified in the Wild and Free-Roaming Horses and Burros Act.

Results: Although the ISPMB alludes to a 10-percent-per-year growth-rate, to be precise, the average annual growth-rates for ISPMB’s “White Sands” and “Gila” herds were, respectively, 5.08 percent and 8.73 percent. Herd-stability and the presence of older horses appeared to be key-factors in limiting each herd’s growth-rate. It is significant that, during the study-period, there were …

No removals
No predators
No PZP

Here is the link to the letter sent in this regard from ISPMB to the Department of the Interior and Bureau of Land Management.

http://www.ispmb.org/Letter.html

Below is the link to a recent post by ISPMB, citing the low population-growth of the Gila Herd. From a starting-population of 31, after 14 years, it reached 100 members. That growth reflects an average annual increase of 8.73 percent.

http://ispmb.org/BirthControlDebate.html

Per this study, BLM’s assumption of a consistent 20-percent annual growth-rate is questioned.

Independent Research Discloses a Ten-Percent Foal-to-Yearling Survival-Rate

A study of BLM roundup-records for a representative sample of four herd management areas was recently published (Gregg, LeBlanc, and Johnston, 2014).

http://protectmustangs.org/wp-content/uploads/2014/04/PM-Population-Growth-4.25.14-FINAL.pdf

The researchers found an effective foal-to-yearling survival-rate of just 10 percent. No matter the birth-rate, what counts is survival. The same pattern likely holds true for the Onaqui herd. Yet, SLFLO’s data painted a picture of a burgeoning population.

Onaqui HMA — Population and Gather Reports — Data Sources

Per a review of the …

HMA and HA Statistics reports for the Onaqui herd from 2005-2014,
Completed Gathers reports from 2009-2014, and the
Gather-and-PZP figures reported in the EA and associated documents,

discrepancies were found.

Onaqui HMA — Utah — Herd Population Changes — 2005 to 2015

The following chart merges the yearly population-estimates with the gather and contraceptive data to reveal how the numbers were calculated and where errors were made. The beginning-of-the-year figure for 2015 — the pre-gather estimate — is per the BLM’s News Release.

January 1
Max Beginning Month
Year AML Estimate R-up Done Foal-Crop and Other Figures, Estimates
2005 210 275 August ??? No data on foal-crop even
though a post-season gather
256 Rounded up
97 Released
56 Mares inoculated with PZP-22
41 Stallions and others
159 Must have been removed
19 Assumed to have escaped
9 Tacked on for reasons unknown
———————————————————–
125 Post-gather estimate = 97+19+9
38 Number added. Late foals?
Correction for not counting them
before the gather? Who knows.
PZP would not affect mares
already pregnant when inoculated.
———————————————————–
163 End-of-year estimate = 125+38

2006 163 + 3 BLM estimated foal-crop @ 2%
But PZP would not affect mares
already pregnant when inoculated.
Would have contracepted mares
that were “open” in August 2005.
———————————————————–
166 End-of-year estimate = 163+3

2007 166 + 24 BLM estimated foal-crop @ 14½%
PZP-22 at maximum effect or
still in effect, depending on mare.
———————————————————–
190 End-of-year estimate = 166+24

2008 190 + 38 BLM estimated foal-crop @ 20%
PZP would have had residual effect.
———————————————————–
228 End-of-year estimate = 190+38
2009 228 + 80 BLM estimated foal-crop @ 35%
October 308 Pre-Gather estimate = 238+80
218 Rounded up
184 Removed, including 2 fatalities
14 Mares given PZP-22.
9 mares retreated
5 mares treated for first time
20 Stallions, untreated mares released
90 Assumed to have escaped
————————————————————-
124 Post-gather estimate = 14+20+90
+ 12 BLM tacked on another 12,
resulting in a combined
growth-rate of 45%.
————————————————————-
136 End-of-year estimate = 124+12

2010 136 + 23 BLM estimated foal-crop @ 17%
… but that was per the added 12.
Foal-crop estimate per 124, with
12+23=35, would have meant 28%.
PZP would not affect mares
already pregnant when inoculated. ————————————————————- 159 End-of-year estimate = 136+23
2011 159 + 47 BLM estimated foal-crop @ 29½%
PZP was at maximum effect and
would have reduced the foal-crop.
————————————————————- 206 End-of-year estimate = 159+47

2012 206 February 186 Pre-Gather Estimate — lower by 20
155 Rounded up
34 Removed
1 Fatality
57 Mares vaccinated with PZP-22
22 mares retreated
35 mares treated for first time
63 Stallions or geldings (?) released
31 Assumed to have escaped
————————————————————-
151 Post-gather herd per the math
57+63+31 = 151
179 Post-gather herd per 2015 EA
206 Post-gather herd per gather-report
————————————————————-
+ 96 BLM estimated foal-crop @ 63½%
per 151 post-gather OR
+ 68 BLM estimated foal-crop @ 38%
per 179 post-gather OR
+ 41 BLM estimated foal-crop @ 20%
per 206 post-gather
————————————————————-
PZP-22 still in effect, however.
————————————————————- 247 End-of-year estimate

2013 247 + 17 BLM estimated foal-crop @ 7%
PZP-22 at maximum effect.
————————————————————-
264 End-of-year estimate = 247+17

2014 264 No other information available
2015 ??? No information available

The discrepancies identified herein cast doubt on the validity of the population-estimates. These errors must be reconciled before any decisions regarding birth-control or removal-actions are considered.

Societal Impact of Inflated Population-Data

The population-estimates for the Onaqui HMA are flawed, exaggerated. The political fallout of this error has been to keep the public in an uproar over an “overpopulation” that BLM’s faulty figures portrayed.

Recommendations: BLM needs to correct these errors and, more importantly, acknowledge them to the public. You must correct the record and make genuine efforts to stop this phony-story-gone-viral of a wild-horse population-explosion in Utah.

Mistakes Cost Wild Horses Their Freedom

The planned removals appear to have been hurriedly scheduled to placate the seditious elected officials and their rogue-rancher constituents, who are making a play for taking over the Federal lands in Utah. However, the wild horses must not lose their freedom merely so that BLM can kowtow to rebellious elements in the human population. If you “come clean” and admit your errors, it will tend to deflate the “head-of-steam” that the officials and ranchers are building due to the false appearance created by false figures.

Neither the First Nor the Second Time Estimates Were Found to Be Flawed

In May 2014, I submitted comments regarding the environmental assessment for Bible Spring Complex, which is located in Utah but is not under SLFO’s jurisdiction. Cedar City Field Office administers it. For the three HMAs and the one HA that compose the Bible Spring Complex, major discrepancies were disclosed — one-year growth-rate-estimates of 125%, 131%, 153%, 157%, and 249%.

Last week, I submitted comments on Cedar City’s “public health and safety” gather of over 100 wild horses from the Sulphur HMA. A review of the population-estimates for that herd disclosed that BLM had assumed an 87-percent herd-growth rate for a particular year in which PZP would have been at maximum efficacy.

A review of this EA disclosed many discrepancies that falsely made the Onaqui herd appear to be growing at implausible yearly rates. Numbers were increased arbitrarily and in spite of contraception being at full effect.

Thus, the errors uncovered across these BLM-Utah field offices regarding wild-horse population-estimates are not isolated instances. These disparities point to a systemic problem.

Recommendations: BLM needs to correct its mathematical errors and acknowledge those mistakes to the public. Elected officials, local permittees, and ordinary taxpayers need to know that the population-estimates previously announced for the Onaqui HMA were wrong. BLM must take responsibility and inform the public that it inadvertently portrayed an incorrect picture — an exaggerated picture — of the herd’s population.

SUMMARY OF CONCLUSIONS AND RECOMMENDATIONS
1. Abandon the use of contraceptive pesticides such as PZP on the Onaqui Herd.

2. Amend the land-use plans to provide a robust AML whose low-bound is 2,500.

3. Conduct a 100-percent evaluation of the Onaqui Mountain herd’s genetic status.

4. Conserve and protect native predators, especially mountain lions.

5. Restore the acreage of the original Onaqui Mountain Herd Area.

6. Adhere to the mimumim-feasible-management requirement of the Act.

7. Administer the Onaqui HMA for the principal use of its wild horses.

8. Correct the population-estimates and advise the public how much they were inflated.

———————————–

Sincerely,

Marybeth Devlin

Miami, FL 33155

Sulphur roundup comments unveil the cruel scam Utah is running

Wild horses sold for Basashi Sushi (Horse Meat)

Wild horses sold for Basashi Sushi (Horse Meat)

 

Email: eburghar@blm.gov

copy: jpalma@blm.gov

February 25, 2015

Bureau of Land Management
Cedar City Field Office
176 East DL Sargent Drive
Cedar City, Utah 84721

Attention: Elizabeth R. Burghard, Cedar City Field Office Manager

Project Name: Sulphur HMA Public Health and Safety
Wild Horse Gather and Removal

Document: News Release

Link:

http://www.blm.gov/ut/st/en/info/newsroom/2015/february/public_safety_concerns.html
Dear Ms. Burghard:

I understand that your office has scheduled another roundup-and-removal operation pertaining to wild horses that allegedly have wandered outside the …

Sulphur HMA

… and that are, reportedly, posing safety-concerns along Highway 21.

I am submitting substantive comments and new information that BLM-Cedar City should consider. I urge you to cancel the gather, correct the population-estimate errors, investigate the validity of the accusations, complete an environmental assessment, fence Highway 21, and take other preventive measures.
REASONS CITED BY BLM FOR SPECIAL ROUNDUP
Overpopulation, Forage Limitations

BLM’s News Release identifies the issue as being wild horses “causing public health and safety concerns along Highway 21.” BLM lists overpopulation and forage limitations as the causes for the horses having allegedly migrated to the outer edge of the Sulphur HMA, near said highway.

The Proposed Action

BLM-Cedar City plans to round up and remove a total of 100 wild horses out of a population that BLM estimates at “approximately 830” (versus 250, the high-bound of the AML). The gather, scheduled to begin only days after issuance of the News Release and in the absence of an environmental assessment, would be accomplished via helicopter-drive. The roundup would supposedly target members of the Sulphur herd that are “encroaching on Highway 21.” But, given wild horses’ propensity to roam extensively, it is unclear how the true perpetrators would be identified.

The Issues

There are several important questions concerning the planned gather that BLM has not addressed.

What is the right solution for preventing vehicle-wildlife collisions?
What is the accurate estimate of Sulphur HMA’s wild-horse population?
Is there really an overpopulation? Has AML been exceeded?
Who has reported wild horses “along Highway 21”? Rogue ranchers?
How likely is it that 100 wild horses are encroaching on the highway?
Is the “public safety” excuse an end-run to skip an environmental assessment?
Was the snap-decision to hold a gather a strategem to avoid scrutiny of the data?
Are the pretty stories about adoptions and retirements-to-pasture just fables?

A review of BLM’s data — its assumptions, claims, population-estimates, gather-data, and PZP-inoculations — for the Sulphur herd disclosed

Grossly-exaggerated estimates,
Failure to adjust for PZP’s contraceptive impact,
Failure to factor in wild-horse deaths on the range from natural causes, and
Ignorance of new studies that found herd-growth averages 10 percent — not 20.

FENCE OFF HIGHWAY 21
Outsiders — Dealing with Roving Equids

Horses will roam. It is their nature. It is management’s duty to keep them from places they should not be. Prevention is key. Removing horses that have wandered outside the boundaries of an HMA — “outsiders” — just creates a vacuum for “insider” horses to fill. Thus, removing “outsiders” is an ineffective strategy. The elimination of mustangs from an open, accessible habitat results in recolonization by other mustangs. Absent barriers, the process begins almost immediately, as horses come upon an area and see that it is attractive … and vacant. This is exactly what has happened! BLM removed 30 wild horses “from the same area” just months ago. Yet, here we go again. Thus, removal is not the solution.

Recommendations: When horses stray, BLM-Cedar City should round them back in! Encourage the outsiders to return to their proper place, then address those factors that caused the animals to leave home.

Does the HMA have perimeter fences?
Do the fences need repair?
Do the gates need to be checked frequently and closed?
Would palatable plantings draw the wild horses back inside the HMA?
Have mineral licks been placed well-inside the HMA?
Have guzzlers been installed to provide water sources within the boundaries?

And, most importantly, …

Why hasn’t Highway 21 been fenced off near the HMA?

BLM-Cedar City should specify preventive measures in this regard as its management approach. Return outsiders to the HMA. Fence the HMA’s perimeters.

Fence Off Highway 21 near Sulphur HMA, Install Wildlife-Underpasses

Highways that cross near wildlife-habitat need to be fenced off. Installing safety-fences is certainly the indicated, cost-effective, and long-term solution. By preventing horses — as well as other creatures — from crossing directly over a highway, fences keep animals from endangering themselves and motorists. Underpasses allow wildlife to migrate freely, but safely.

I urge BLM-Cedar City to install a system of fences and underpasses along Highway 21, where the road approaches the Sulphur HMA. Highway 21 has been described as “remote,” suggesting that traffic on it tends to be sparse, which should minimize inconvenience during installation of these protective features. Funding should be sought from BLM-National, BLM-Utah, your own Field-Office budget, and other state, local, and private sources.

Wildlife Underpasses — Historical Perspective

Utah can rightfully claim that it was the first state to install a wildlife-crossing in North America. In 1971, such an overpass was constructed south of Beaver.

Fast-forward to 2013, when a partnership of governmental agencies and private groups in Utah installed a system of fencing and underpasses along a 12-mile stretch of US Highway 89. The purpose of the $2.6 million-project was to protect Paunsaugunt mule-deer-herd during the animals’ seasonal migrations. The subject deer are considered trophy-caliber among sport-hunters, many of whom spend thousands of dollars to shoot one. But, prior to the installation of the fences and underpasses, an average of 100 mule-deer a year were being killed by collisions with automobiles.

What caught my attention was that the project was largely funded by … BLM — even though only 23 percent of the Paunsaugunt Plateau is on BLM-administered land.

http://www.sltrib.com/sltrib/news/56291923-78/wildlife-deer-highway-utah.html.csp

The State’s management-objective for the mule-deer herd in the Paunsaugunt is a population of 5,200 to 6,500 wintering deer. In addition, predators — specifically, cougars — are “managed” … by hunting them … to “benefit” the deer — or is it to benefit the hunters wanting to kill the deer? Thus, the natural ecological balance is disturbed for the sport of humans.

https://wildlife.utah.gov/hunting/plans/deer_27.pdf

Interestingly, the most recent data I could locate on Utah’s mule-deer population indicated that, post-harvest of 25,000-plus bucks in 2013, there were 332,900. Unlike neighboring states, Utah has a thriving mule-deer population. The International Union for Conservation of Nature (IUCN) categorizes the mule deer’s conservation-status as a species of “least concern” (LC). Mule deer have even been introduced to … Kauai, Hawaii. Yet, BLM was willing to spend millions to keep 100 of them safe. Surely, BLM will find a way to protect our precious-few-remaining wild horses. The answer is: Fence Highway 21 near the Sulphur HMA!

http://www.sltrib.com/info/staff/1714705-156/deer-utah-wildlife-mule-habitat-million

How Well Did the Highway 89 Underpasses Work?

Not perfectly, but pretty well, according to the article linked below. Deer-deaths are down. Reportedly, it takes about three years for wildlife to become accustomed to the new funnel-structures, so results should continue to improve. One snag was cited: Opportunist-hunters set up camp near the underpasses, and shot deer passing through the funnel. Consequently, other deer, sensing danger, avoided the structures.

http://www.deseretnews.com/article/865603956/Deer-crossings-successful-but-not-perfect.html?pg=all

Wildlife and Roads — Decision-Guide

At the link below, you will find information and resources regarding the use of overpasses, underpasses, and crosswalks for mitigating collisions between wildlife and vehicles.

http://www.wildlifeandroads.org/decisionguide/2_1_6.cfm

You already have the template from the Highway 89 project. Lessons have been learned — what worked, what didn’t, and how the system could be improved. Thus, implementation of a corresponding project for Highway 21 should go smoothly. Fence it, and they will cross through the underpasses.
FLAWED POPULATION ESTIMATES
Unlikely Birth-Rate

According to BLM’s 2013 population-estimate, the Sulphur herd was reported to have had 384 members. The corresponding estimate for 2014 showed 718 horses.

http://www.blm.gov/wo/st/en/prog/whbprogram/herd_management/Data.html

Let’s do the math.

718 in 2014
– 384 in 2013
——-
334 — an 87-percent increase (334 ÷ 384 = 87%).

This is improbable.

Population and Gather Reports — The Data

Per a review of the …

HMA and HA Statistics reports for the Sulphur herd from 2008-2014,
Completed Gathers reports from 2009-2014, and the
Population-figure referenced in BLM’s News-Release,

discrepancies are evident.

Sulphur HMA — Utah — Herd Population Changes — 2008 to 2015

The following chart merges the yearly population-estimates with the gather and contraceptive data to reveal how the numbers were calculated and where errors were made. The beginning-of-the-year figure for 2015 — the pre-gather estimate — is per the BLM’s News Release.

Max Beginning
Year AML Estimate R-up Done Foal-Crop and Other Figures, Estimates
—— —– ———– ————– —————————————————

2008 250 435 + 87 BLM estimated foal-crop @ 20%
November 522 Pre-gather estimate = 435+87
362 Rounded up
333 Removed
29 Released
160 Assumed to have evaded capture
1 Tacked on
——
190 Post-gather estimate = 29+160+1
2009 190 + 40 BLM estimated foal-crop @ 21%
230 End-of-year estimate = 190+40
2010 230 + 67 BLM estimated foal-crop @ 29%
December 297 Pre-gather estimate = 230+67
250 Planned to gather
90 Rounded up — 36% of plan
30 Removed
38 Mares vaccinated with PZP
22 Other horses also released
207 Assumed: evaded capture
—–
267 Post-gather estimate = 38+22+207

2011 267 + 53 BLM estimated foal-crop @ 20%
PZP would not have affected mares
—– already pregnant when inoculated.
320 End-of-year estimate = 267+53
2012 320 + 64 BLM estimated foal-crop @ 20%
But that estimate was wrong.
PZP was at maximum effect and
—– would have reduced the foal-crop.
384 End-of-year estimate = 320+64

2013 384 +334 BLM estimated foal-crop @ 87%
Not only implausible generally, but
PZP was still exerting contraceptive
—– effect, would have reduced foal- crop.
718 End-of-year estimate = 384+334
2014 718 +144 BLM estimated foal-crop @ 20%
thus compounding earlier errors.
August 36 Rounded up — “outside”
30 Removed
6 Released
826 Assumed: Still present in HMA
– 2 Subtracted
—–
830 Current estimate = 718+144-30-2
2015 830 Public health and safety excuse used to justify removing 100 wild horses without an EA.

The discrepancies identified herein cast doubt on the validity of the population-estimates. These errors must be reconciled before any decisions regarding removal-actions are considered.

Societal Impact of Inflated Population-Data

The population-estimates for the Sulphur HMA are flawed, exaggerated. The political fallout of this error has been to keep the public in an uproar over an “overpopulation” that BLM’s faulty figures portrayed.

Recommendations: BLM needs to correct these errors and, more importantly, acknowledge them to the public. You must correct the record and make genuine efforts to stop this phony-story-gone-viral of a wild-horse population-explosion in Utah.

Mistakes Cost Wild Horses Their Freedom

The planned removals appear to have been hurriedly scheduled to placate the seditious elected officials and their rogue-rancher constituents, who are making a play for taking over the Federal lands in Utah. However, the wild horses must not lose their freedom merely so that BLM can kowtow to rebellious elements in the human population. If you “come clean” and admit your errors, it will tend to deflate the “head-of-steam” that the officials and ranchers are building due to the false appearance created by faulty figures.

Not the First Time Population-Estimates Were Found to Be Flawed

In May 2014, I submitted comments regarding the environmental assessment for Bible Spring Complex, which is also under BLM-Cedar City’s jurisdiction. For the three HMAs and the one HA that compose the Complex, major discrepancies were disclosed — one-year growth-rate-estimates of …

125 %
131 %
153 %
157 %
249 %

Thus, the errors uncovered with regard to BLM’s population-estimates for the Sulphur HMA are not isolated instances. Together with those revealed for the Bible Spring Complex, these disparities point to a systemic problem.

Recommendations: BLM needs to correct its mathematical errors and acknowledge those mistakes to the public. Elected officials, local permittees, and ordinary taxpayers need to know that the population-estimates previously announced for the Sulphur HMA were wrong. BLM must take responsibility and inform the public that it inadvertently portrayed an incorrect picture — an exaggerated picture — of the herd’s population.
HOW THE ESTIMATES SHOULD HAVE LOOKED — PER BLM METHODOLOGY
Projections per a Twenty-Percent Foal-Survival Rate

Let’s see how the population numbers should look if we used BLM’s assumption of a 20-percent foaling-rate. I have run the numbers, both including 2014 foals (inequitable) and excluding 2014 foals (correct).

Why 2014’s foals should be excluded: When determining animal-unit-month (AUM) use, BLM counts a cow and her calf as one unit. Likewise, a wild mare and her foal should also count as one unit. But in recent years, BLM has been counting foals as separate units. BLM has even been caught estimating wild-horse populations — and thus, AUM-use — to include newborn and even unborn foals. The correct and equitable approach is not to count foals, and certainly not to count fetuses.

Note about birthdays: Some might argue that all horses celebrate their collective birthday on January 1. But that practice is merely a convention of breed-registries, causing their members to employ artificial means to force mares to ovulate out-of-season in order to avoid their offspring being at a physical-maturity disadvantage vis-à-vis competitors. True age is biological age, and wild foals will not be true yearlings for several more months, until spring.

Factoring in PZP’s Impact: Herd size was affected by removals and by PZP. Removals, we know. As for PZP, the picture becomes murky.

Dr. Jay Kirkpatrick, the developer of PZP, claims that PZP treatment of wild horses is greater than 95-percent effective.

http://www.einsten.net/pdf/110242569.pdf

BLM-Billings, which has been employing PZP for many years to contracept the Pryor Mountain herd, has found that PZP’s efficacy averages 90 percent.

http://www.blm.gov/style/medialib/blm/mt/field_offices/billings/wild_horses/2015_fertility_ea.Par.54014.File.dat/PMWHR%20fertility%20preliminary%20EA%202015.pdf

A study by Turner et al. (2007), which was cited in the National Research Council’s report Using Science to Improve the BLM Wild Horse and Burro Program: A Way Forward, found that PZP-22 remains 85-percent effective after 22 months. Moreover, PZP is known to exert significant contraceptive effect in the third year and beyond.

http://www8.nationalacademies.org/cp/projectview.aspx?key=49392

However, there are too mainly unknowns for me to factor in PZP’s effect on the Sulphur herd’s growth. So, to proceed conservatively, the estimates below ignore PZP initially and, thus, overstate the population to an unknown extent in that regard. An adjustment will be applied at the end to offset this.

Deaths on the range: Finally, it is assumed — wrongly, but for sake of initial estimates — that no horses died in the past seven years. The estimates ignore fatalities and, thus, further overstate the population. An adjustment encompassing PZP and fatalities will be applied to arrive at a working-estimate.

Bottom line: Every benefit-of-the-doubt has been given.

Sulphur HMA — 20% Growth — Reflecting removals, but not PZP or deaths

2008 — 190 — BLM’s population-estimate post-gather November 2008

Year Herd-size
January 1

2009 — 190 — Foal-crop: 38. Those foals would have been born in spring.

2010 — 228 — Foal-crop: 46. Dec. gather removed 30 horses, PZP 38 mares.

2011 — 244 — Foal-crop: 49. PZP does not affect already-pregnant mares.

2012 — 293 — Foal-crop: 59. Even though PZP at maximum-effect.

2013 — 352 — Foal-crop: 70. Even though PZP still in effect.

2014 — 422 — Foal-crop: 84. But gather in Aug removed 30 horses.
2015 — 476 — including the 2014 foal-crop

2015 — 392 — excluding the 2014 foal-crop

It is clear that, using BLM’s own data and the “20-percent-per-year” rule, BLM’s population-estimate, with or without the 2014 foal-crop, was about double that of a properly-calculated estimate.

Conclusion: If we were to accept BLM’s thesis that the herds grow 20 percent every year, then a good working-estimate of the Sulphur herd excluding the 2014 foals would have been about 350. That rounded number reflects a modest 10-percent adjustment to account for the effects of PZP and for deaths-on-the-range that would have reduced the population.

Yes, the estimate exceeds the assigned AML. However, in this case, being “over AML” is not meaningful because the AML and the working-estimate reflect a herd-level that is …

Below minimum-viable population.

No wild horses should be removed. Complete an environmental assessment as required, and fence off Highway 21.

Planned Roundup Would Have a Devastating Impact on the Sulphur Herd

Per the working-estimate of 350, if BLM were to remove 100 horses from the Sulphur herd, it would be a sudden, drastic reduction — nearly 30 percent of the herd. In addition, the type of roundup — targeting horses near Highway 21 — would ignore bloodlines and essentially be a “gate-cut.” Thus, the herd’s genetic viability would be further impaired.

But it gets worse. Recent studies have shown BLM’s “20-percent-per-year” rule to be exaggerated by double.
TRUE HERD-GROWTH RATE, FOAL-TO-YEARLING SURVIVAL RATE = 10%
Longitudinal Study Demonstrates Growth-Rate of Five-to-Ten-Percent

The International Society for the Protection of Mustangs and Burros (ISPMB) has just completed a 14-year study of wild-horse population-growth. The ISPMB herds have been managed per the “hands-off” minimum-feasible level specified in the Wild and Free-Roaming Horses and Burros Act.

Results: The study-herds grew from 5-to-10 percent a year. During the study, there were …

No removals
No predators
No PZP

Here is the link to the letter sent in this regard from ISPMB to the Department of the Interior and Bureau of Land Management.

http://www.ispmb.org/Letter.html

The ISPMB study casts doubt on BLM’s standard “20-percent-per-year” rule for estimating herd-growth. Certainly, assumed growth-rates of 29 percent IN 2010 and, especially, the 87 percent growth-rate the BLM assumed for 2014, are implausible. Further, because subsequent estimates were based on false, inflated previous estimates, the errors compounded.

Independent Research Discloses a 10% Foal-to-Yearling Survival-Rate

A study of BLM roundup-records for a representative sample of four herd management areas was recently published (Gregg, LeBlanc, and Johnston, 2014).

http://protectmustangs.org/wp-content/uploads/2014/04/PM-Population-Growth-4.25.14-FINAL.pdf

The researchers found an effective foal-to-yearling survival-rate of just 10 percent. No matter the birth-rate, what counts is survival. The same pattern likely holds true for the Sulphur herd. Per this study, BLM-Cedar City’s assumed growth-rates for the Sulphur herd are deemed not credible.
HOW THE ESTIMATES SHOULD HAVE LOOKED — PER NEW RESEARCH-FINDINGS
Projections per a Ten-Percent Growth-and-Survival Rate

Let’s see how the population numbers would look if we correctly assumed a ten percent foaling or survival rate. I have run the numbers, both including 2014 foals (inequitable) and excluding 2014 foals (correct).

Sulphur HMA — Per 10% Growth — Modified by Removals, but NOT by PZP

2008 — 190 — BLM’s population-estimate post-gather Nov ’08

Year Herd-size
January 1

2009 — 190 — Foal-crop: 19.

2010 — 209 — Foal-crop: 21. Dec. gather removed 30 horses, PZP 38 mares.

2011 — 200 — Foal-crop: 20. PZP does not affect already-pregnant mares.

2012 — 220 — Foal-crop: 22. Even though PZP at maximum-effect.

2013 — 242 — Foal-crop: 24. Even though PZP still in effect.

2014 — 266 — Foal-crop: 27. But gather in Aug removed 30 horses.
2015 — 263 — including 2014 foals

2015 — 236 — excluding 2014 foals

It is clear that, using BLM’s own data and the “10-percent-per-year” research-finding rule, BLM’s population-estimate, with or without the 2014 foal-crop, was more than triple the properly-calculated estimate.

Conclusion: If we were to accept the new research-findings that herds grow 10 percent a year, then a good working-estimate of the Sulphur herd excluding the 2014 foals would have been about 210. That rounded number reflects a modest 10-percent adjustment to account for the effects of PZP and for deaths-on-the-range that would have reduced the population.

However, please note that the working-estimate derived per the independent research’s findings of 10-percent growth reflects a population that is …

Below AML and
Below minimum-viable population.

It is clear that BLM should be estimating the wild-horse population according to the latest scientific knowledge. Therefore, no wild horses should be removed. Instead, complete an environmenal assessment and fence off Highway 21.

Could There Really Be 100 Wild Horses Wandering onto the Highway?

Out of a herd best-estimated at 210, it seems implausible that 100 horses — virtually half the population — would have left the 265,711 acres of the HMA and begun hanging out near Highway 21. Indeed, the public safety “concerns” appear phony — like they might well have been concocted by rogue ranchers and seditious county commissioners. The safety-complaint seems more of a ruse to push BLM into conducting a major removal-action that will inure to the benefit of permit-holders. Those parties are agitating to have the State of Utah take over Federal lands and the management of our wild horses. Getting rid of the horses is the ranchers’ goal.

Unfortunately, BLM’s previous erroneous population-figures made it seem that the ranchers were right about an overpopulation of wild horses, and that by removing just 100 of them, BLM would hardly be making a dent. Thus, it is imperative that BLM set the record straight.

Happy Tone, Ugly Reality

BLM’s News Release is deceptively friendly in tone — from naming a meet-up point from which BLM invites prospective observers to start the “escorted tours” to the standard feel-good language about captured horses finding “new homes with families” and pleasant-pastures-for-life for those horses not adopted. Behind the facade, the reality is another story.

Claim of exigency regarding public safety;
Claim that is unverified and reeks of maneuvering by local ranchers.
Pretense that 100 horses are “encroaching on Highway 21”;
Removing horses rather than installing fences along the Highway.
Pretense that population-estimates are reliable numbers;
Finding of huge discrepancies in those estimates.
Pretense that an environmental assessment isn’t necessary;
Reality that an EA is required.
Pretense that only 12 percent of the herd would be removed;
Reality that 50 percent of the herd would be unlawfully taken.
Feel-good stories of adoptions and wild horses peacefully living out their lives at pasture
Reality that many of them would be — as they have been — sold to slaughter
ADOPTION … OR HIGHWAY TO HELL?
Sale to Slaughter for Sulphur HMA Captives

BLM’s News Release is disingenuous where it claims that wild horses “removed from near Highway 21 will be made available for adoption through the BLM Wild Horse and Burro Adoption Program.” The News Release is also dishonest where it promises that wild horses “not adopted will be cared for in long-term pastures, where they retain their ‘wild’ status and protection under the 1971 Wild Free-Roaming Horse and Burros Act.” If only those fairy tales were true. Unfortunately, the opposite is the case. Said adoption program is conducted to bring “three strikes and you’re out” to as many horses as quickly as possible, making them eligible to be sold rather than adopted. The long-term pastures program is shrouded in secrecy. The public has no access to check on the horses’ welfare. Past scandals have revealed BLM staff involved in selling wild horses to kill-buyers.

A review of BLM records of recent “adoptions” of wild horses that were removed from the Sulphur HMA just six months ago as part of the earlier “near Highway 21” removal disclosed instances of the Adoption Program auctioning off horses online for just $25, with free delivery to sites known to be frequented by kill-buyers.

http://rtfitchauthor.com/2014/12/11/

Were the mares at issue among those that the New Release reported to “have found new homes with families”? Or did BLM remove wild horses from “near Highway 21” only to send them down a “highway to Hell”?
SULPHUR HERD’S AML WAS SET AT A GENETICALLY NON-VIABLE LEVEL
AMLs Should Provide for Better Than MVP, but Must Provide for At Least MVP

BLM is required by law to manage the wild horses in self-sustaining herds. To be self-sustaining, a herd must be genetically viable. To achieve viability, sufficient population is necessary.

A scientifically-valid AML needs to comply with the recommendations of the International Union for Conservation of Nature (IUCN) regarding adequate herd-size for equids. Increasing the AML per the IUCN guidelines also comports with the results of a recent meta-analysis regarding minimum viable population (MVP). Here are the links to the IUCN discussion on equid herd-size and to the MVP meta-analysis report:

http://data.iucn.org/dbtw-wpd/edocs/1992-043.pdf

http://coreybradshaw.files.wordpress.com/2011/03/traill-et-al-2007-biol-conserv.pdf

BLM needs to increase the low-bound of the Sulphur AML to at least 2,500 and the high-bound to at least 5,000. BLM does have the authority to modify AMLs, and should correct Sulphur herd’s through amendments to the Resource Management Plan (RMP) and Herd Management Area Plan (HMAP). These actions should be taken right away. The corrected AML will result in a stocking-rate of one horse per 53 to 106 acres, which compares favorably with the one cow or calf per 38 acres that BLM allows on federal lands, as shown in the analyses that follow.

Sulphur HMA — Utah — AML, and Acres per Wild Horse — Current

AML: 165 to 250 — Below minimum-viable population

Total acres: 265,711 — which is approximately 415 square miles

Acres per wild horse: 1,063 – 1,610 — about 1⅔ to 2½ square miles per horse
Sulphur HMA — Utah — AML, and Acres per Wild Horse — Recommended

AML: 2,500 to 5,000 — Meets minimum-viable population per IUCN

Total acres: 265,711 — which is approximately 415 square miles

Acres per wild horse: 53 – 106 — about 6 to 12 horses per square mile

BLM’s National Authorized Livestock AUMs

But can the Sulphur HMA, composed of 265,711 acres sustain up to 2,500 mustangs at 106 acres per horse? What about 5,000 mustangs at 53 acres per horse?

BLM’s approach to determining appropriate levels of livestock-grazing suggests that the answer to both questions is “Yes”.

Below are the National statistics for authorized commercial livestock-grazing on BLM lands per animal-unit months (AUMs). Note the stocking rate: One cow or calf per 38 acres.

157,000,000 acres of public lands on which BLM allows cattle

1,033,333 cow+calf pairs that BLM permits to graze = AUMs annualized

2,066,666 cow+calf pairs per typical 6-month permit = annual AUMs x 2

4,133,332 cows and calves = pairs x 2

38 acres per cow or calf

BLM may argue that actual livestock use is lower than authorized or permitted use. But because actual use is whatever the permit-holders report on Form 4130-5, and because BLM essentially takes the permit-holders’ at their word and bills accordingly … eventually … after-the-fact … maybe … or maybe not (see Bundy, Cliven), the actual-use number is unverified and likely grossly under-reported.

Actual Grazing Use Report — Form 4130-5

As alluded to above, permittees are required to submit an annual report of how many livestock they put out on their respective allotments and for how long. Form 4130-5 “Annual Grazing Use Report” is used for this purpose. It’s a one-page document that BLM estimates to take 15 minutes to complete “… including the time for reviewing instructions, gathering and maintaining data, and completing and reviewing the form.”

http://www.blm.gov/style/medialib/blm/noc/business/eforms.Par.2064.File.dat/4130-005.pdf

http://www.gpo.gov/fdsys/pkg/FR-2014-08-22/html/2014-20049.htm

Form 4130-5 is the basis on which BLM bills the permit-holders. It is also the basis for the claim of reduced-use. Thus, grazing-use is a self-reporting, self-certifying system that is rarely verified. The ease with which permittees could game the system is obvious. Consequently, the veracity of the reports is suspect.

Bundy-Supporting Permittee Grazed His Livestock beyond Authorized Use

In neighboring Nevada, permit-holder Kevin Borba, whose allotment includes land inside the Fish Creek HMA, engaged in unauthorized livestock-grazing “consistently for six months” outside the permitted use. He had his cattle out there year-round. He owes $29,410.62 in fees and fines for willful trespass, but has subsequently sued BLM over the loss of his “rights” and to stop BLM from returning any wild horses to the range following the recent gather.

http://wildhorseeducation.org/2015/01/09/nevada-rancher-gets-bill-for-livestock-trespass-in-wild-horse-area/

Such abuses by permittees are likely widespread. Cliven Bundy and Kevin Borba are not alone in this regard. Utah has its share of rogue-ranchers too, as recent events have demonstrated.

What If There Is Not Enough Forage to Support 5,000 Horses?

Nature has its feedback mechanisms that function to right-size a herd to fit the land’s carrying capacity. Biologist Robert Bauer points out that

… density dependent inhibition plays an important role also. In this scenario, what that means is that the numbers or density of wild equine, versus competing ruminants, such as the pronghorn, each will fluctuate in response to the other based upon the carrying capacity of the land, yet always in perfect balance. In essence, the pronghorn need the presence of wild horses and burros, just as much as the wild horses need the pronghorn. Each population will have the effect of keeping the numbers of another competing population at levels that are ideal for the carrying capacity of the land.

http://www.habitatforhorses.org/an-update-seen-through-the-eyes-of-one-biologist/
LONG-TERM VIABILITY OF THE SULPHUR HERD
Genetic Evaluation of the Sulphur Herd

BLM notes that the Sulphur herd has Spanish Barb genetics. Many reportedly have the primitive dorsal stripe and “tiger stripes” on their legs.

http://www.blm.gov/ut/st/en/fo/cedar_city/wild_horses_and_burros/sulphur_hma.html

Careless and excessive removals of wild horses can nullify preservation-efforts. Thus, the very characteristics for which this herd is known could be lost by ignorant management. BLM-Cedar City is duty-bound to conserve the Sulphur herd and manage it for a self-sustaining, genetically-viable population.

Recommendations: Perform a complete genetic study of the herd. Per test-results on DNA samples analyzed by the Equine Genetics Lab and per guidance from Dr. Gus Cothran, BLM must then develop best management practices to restore and maintain gene-pool diversity via robust population-levels. An AML is valid only if it provides for a optimal population — one that can easily self-sustain its genetic viability and bounce back from random catastrophic events. It is not scientifically valid to conduct removals blindly — without regard to the herd’s genetics. Submitting DNA samples after-the-fact has it backwards.

The correct order is:

Sample first.
Sample complete — 100 percent.
Test samples.
Manage per test-results.

There should be no removals or contraceptions without knowing and managing per the genetic data for each herd-member.

Drastic Limitation of Herd-Size Leads to a Non-Viable Gene Pool

I would urge the BLM-Cedar City to study the topic of “genetic drift.” An excellent resource is linked below. Please note that stochastic events — random, chance happenings — can eliminate important survival-supporting, adaptive genes from a population. BLM’s currently-inadequate AML, enforced through sudden, draconian removals and mass contraceptive vaccinations, could randomly wipe out certain traits that are valuable and well-worth conserving.

Please study the danger of creating a “population bottleneck,” which is especially risky when a population is small, as is the case with the mustang-herd in question. Please also review the topic of the “founder effect” — which occurs when a new colony is started by a few members of the original population. It too would apply to previous removals. Refreshing your understanding of these evolutionary impacts will surely make it clear that the proposed intensification of PZP treatment is contraindicated. Here is that link:

http://evolution.berkeley.edu/evosite/evo101/IIIDGeneticdrift.shtml

Removal of Young Horses that May Be Their Sire or Dam’s Only Offspring

Captured horses would likely consist predominantly of mares and their foals, along with band-stallions. Bachelor-stallions escape more easily, resulting in a gender-ratio imbalance post-gather. Too few mares and too many studs is bad for the gene-pool. BLM-Cedar City must be careful in this regard. Because the Sulphur herd’s current population is below MVP, and because mares have been contracepted, certain bloodlines could be extinguished by mass-removals.
A HELICOPTER-ROUNDUP IS ILL-ADVISED FOR SEVERAL REASONS
Helicopters Are Not Safe

BLM-Cedar City has been informed, in previous comments, that helicopters crash a lot. For that reason, helicopter-use should be restricted to functions in service of a higher good, such as saving lives or fighting fires.

Peculiar Way of Addressing Safety Concerns

Please note the irony of using a helicopter-stampede — a dangerous method — to deal with an alleged public-safety concern. Rather than increasing safety, this approach decreases it.

Helicopter-Drive — an Inhumane Roundup Method

Using helicopters to round up wild horses is inhumane. There is no way to make it humane. Helicopter-roundups are examples of worst management practices. It is a national scandal that they still continue, bringing disgrace to the Agency and reflecting poorly on the Administration.

Abusive Behavior by Helicopter Pilots during Gathers

As has been documented on video, helicopter-pilots conducting roundups become frustrated by the wild horses’ lack of cooperation. Impatient to get the horses moving faster, the pilots ram the horses with the aircrafts’ landing skids, in some cases even flipping the animals into a somersault. There is video documentation of such abuses, and a court found that they had indeed occurred. Worse yet, much of the abuse goes undetected because the roundup-pilot generally flies solo.

There has also been documentation of contractor-wranglers whipping wild horses in the face, kicking them in the head, dragging them by the neck with ropes, using electric prods on them.

No Horse Left Behind

The helicopter contractors are incentivized to leave no horse ungathered. In addition to the flat-fee-for-service, they earn a per-horse-fee. Thus, they have reason to go after every last horse in order to “make their numbers.” Indeed, during the November 2012 Wassuk (NV) HMA roundup, we saw how determined the contractors were to get their per-horse payment. We also observed how the attending USDA veterinarian and the BLM officials present did nothing to stop the abuse.

An Angry Contractor May Be Headed Your Way

In case BLM-Cedar City were planning to employ the same helicopter-contractor who just worked the Fish Creek gather in Nevada, here is information you need to know.

Because that roundup was called off about 75 horses short of the planned number, the contractor was not happy. In fact, he tried to confront one of the humane-observers to make his displeasure known. She wisely refused to be provoked and just walked away.

http://wildhorseeducation.org/2015/02/22/standoff-obstructs-pioneering-effort-for-wild-horses/

Because the contractor’s profit-pump is primed, he could likely be more aggressive than usual. He could take out his frustrations on the horses.

Some Observers May Be Pumped-Up Too

Roundup-observers are bound to include anti-wild-horse parties — local ranchers, local elected officials. They are likely to be eager to bring a lawsuit against BLM on any pretext in sympathy with the Bundy-supporting, trespass-permittee in Nevada who, along with Eureka County Commissioners, just filed an IBLA appeal with regard to the Fish Creek gather.

http://www.idahostatejournal.com/news/state/blm-holds-off-on-plan-to-return-mustangs-to-range/article_5eaf59ac-008c-5977-8f3a-491f9e9dad06.html

The political weather is unstable. That is another good reason to call off the roundup.

Easy for Helicopter-Pilot to “Poach” Wild Horses from Neighboring HMAs

A glance at the map of the Sulphur HMA shows that Highway 21 approaches its boundary at one point before veering off again. The map also shows that Highway 21 passes by Blawn Wash, which is not-that-far east of the Sulphur HMA. Blawn Wash is associated with the Bible Spring Complex. However, having been downgraded to an HA, Blawn Wash is officially “off limits” to wild horses.

How easy it would be for a disgruntled and therefore highly-motivated helicopter-pilot to “poach” wild horses from the Bible Spring Complex by driving them into Blawn Wash. What would stop him from capturing wild horses that never set hoof near Highway 21? BLM needs to ask itself: Are we honestly trying to catch the Highway 21 trespassers, or are we allowing permittees to bully us into removing any 100 wild horses that the helicopter can find? The horses thus-captured might not even include the few that are — allegedly — “encroaching” on the Highway.

Possible Collusion with Permit-Holders

Perhaps, as you read this, permit-holding ranchers are in the HMA, pushing wild horses toward the Highway.
SUMMARY OF CONCLUSIONS AND RECOMMENDATIONS
1. Stop action. Cancel gather.

2. Complete environmental assessment.

3. Correct errors in the population-estimates.

4. Fence off Highway 21. Install wildlife-underpasses as needed. Apply the funds you would have used for this gather to begin construction of fences and underpasses.

5. Bring ’em back home. In the meantime, if a few wild horses really are straying onto Highway 21 — and the claim seems suspiciously-like a self-serving story that ranchers would invent — then BLM staff on horseback should be out on the scene “shooing” the mustangs back into the HMA. How else will the horses learn where they can and cannot roam? In short order, they will get the message.

6. Make it so they want to stay home. BLM should install multiple guzzlers deep within the HMA so that the wild horses will have water-sources available. That will reduce their dependency on stock-tanks operated by permit-holders. BLM should also entice the horses to stay home by placing treats such as mineral licks well-inside the HMA. BLM must remediate conditions that prompted the wild horses to wander. However, if the horses are following a seasonal migration route, then a wildlife corridor for them must be established. Regardless of these good measures, it is still essential to fence off Highway 21.

7. Amend the RMP and HMAP now to provide for a genetically-viable herd. The current AML and the actual wild-horse population of the Sulphur HMA are below mininum-viable population (MVP).

8. Increase the low-bound of the AML to 2,500 and the high-bound to 5,000.

9. Conduct a 100-percent evaluation of the Sulphur HMA herd’s genetic status.

10. Say “No” to helicopters.
—————————————-

Sincerely,

Marybeth Devlin

Public comment due March 20th for proposed Red Desert wild horse roundup

 

(Wyoming) – The Bureau of Land Management (BLM) Rawlins and Lander Field offices are accepting public comments prior to preparing an Environmental Assessment (EA) on a proposed wild horse gather in the Red Desert Herd Management (HMA) and surrounding area to be placed on the national schedule.

The Red Desert Complex includes the following HMAs and corresponding Appropriate Management Level (AML) ranges: Lost Creek HMA 60-82, Stewart Creek HMA 125-175, Antelope Hills HMA 60-82, Crooks Mountain HMA 65-85, and Green Mountain HMA 170-300. The proposed operation would include gathering wild horses, treating all mares to be released with PZP-22 (Porcline Zona Pellucida) fertility control vaccine, and removing horses which have moved outside the HMAs. Mares will be treated with the fertility control to slow reproduction rates, maintain population size within the AML, and to extend the time period between gather operations. Population surveys conducted in August 2013 reveal a number of wild horses have moved outside the HMAs. Those horses, as well as the foals, would be gathered and removed from the range.

Written substantive comments will be most useful if received by March 20 via fax, mail, email:RedDesertComplex_HMA_wy@blm.gov (please include “Red Desert Complex Scoping Comments” in the subject line), or hand delivery during regular business hours (7:45 a.m. – 4:30 p.m.) to:

Benjamin Smith, Wild Horse & Burro Specialist Trent Staheli, Rangeland Management Specialist

BLM Rawlins Field Office (Acting Wild Horse & Burro Specialist)

P.O. Box 2407 BLM Lander Field Office

Rawlins, Wyoming 82301 1335 Main Street

Fax: (307) 328-4224 Lander, Wyoming 82520

Fax: (307) 332-8444

For more information, visit: http://www.blm.gov/wy/st/en/info/NEPA/documents/rfo/red-desert.html.

–BLM

BREAKING NEWS: Judge temporarily blocks the roundup and forced drugging of beloved herd from THE MISFITS starring Marilyn Monroe

PM MArilyn © Eve Arnold Magnum Photos

PM PIne Nut Horses

 

For immediate release:

Anne Novak, Executive Director, Protect Mustangs; 415.531.8454; anne@protectmustangs.org
Jenni Barnes, staff attorney, FoA’s Wildlife Law Program 720.949.7791; jenniferbarnes@friendsofanimals.org
Mike Harris, Director, Wildlife Law Program; 720.949.7791; michaelharris@friendsofanimals.org

BREAKING NEWS: Judge temporarily blocks the roundup and forced drugging of beloved Nevada herd known from THE MISFITS

Government cannot rely on a five-year-old environmental analysis that ignores allegations of pesticide dangers

RENO, NV (February 11, 2015)—U.S. District Judge Larry Hicks has granted Protect Mustangs and Friends of Animals a motion for a preliminary injunction to stop the Bureau of Land Management’s (BLM) roundup and permanent removal of 200 wild horses in the Pine Nut Herd Management Area (HMA) and the roundup of another 132 wild horses so that an estimated 66 mares can be given the drug PZP, an EPA approved pesticide, as a form of birth control. These wild horses belong to the most famous horse herd in NV–the one featured in The Misfits starring Clark Gable and Marilyn Monroe–which helped pave the way for the Wild Horse & Burro Act of 1971. This herd now faces possible obliteration, despite the Act and advocates are fighting to stop a travesty with attorneys Michael Harris and Jennifer Barnes from Friends of Animals Wildlife Law program and attorney Jennifer Spencer from Cavanaugh-Bill Law Offices in Elko, Nevada

“Today is a milestone for America’s wild horses who have been scapegoated for range damage and forcibly drugged with PZP in experiments for decades,” states Anne Novak, executive director of Protect Mustangs based in San Francisco. “They should never live in zoo-like settings on public land. That’s not freedom. Wild horses are a native species who contribute to the ecosystem. They belong here.”

Hicks said that with the proposed Pine Nut roundup, which was slated to begin Feb. 20, 2015, the BLM has failed to satisfy the National Environmental Protection Act (NEPA) and other federal laws that are applicable.

“Accordingly, the court finds that the public interest will be best served by enjoining the BLM’s proposed gather, at least until the court has an opportunity to fully consider the merits of plaintiffs’ claims,” Hicks said.

“We are delighted that the Court agreed with Friends of Animals and Protect Mustangs that BLM is obligated to fully evaluate under NEPA each and every proposed round-up,” said Michael Harris, director of Friends of Animals’ (FoA’s) Wildlife Law Program. “In relying upon a stale Environmental Assessment from 2010, BLM has not met its duty to fully inform the public about the impacts associated with its plan to permanently remove more than 200 wild horses from the Pine Nut Range, and to dose dozens of mares with the fertility drug PZP. It is time for BLM to evaluate the harsh reality that PZP has long-term detrimental effects on wild horses.”

“I would say this is a major victory for wild horses and reflects rising concerns about rounding up and drugging wild horses with PZP,” added Jennifer Barnes, staff attorney with FoA’s Wildlife Law Program.

“I’m grateful that the wild herd I’ve been studying for 50 years has received justice in federal court today.” Craig Downer, director of ecology and conservation at Protect Mustangs. “This is an opportunity to prove our case to restore the herds.”

www.ProtectMustangs.org
Protect Mustangs is a nonprofit organization who protects and preserves native and wild horses.

# # #

 Links of interest™:

February 11th Court order granting preliminary injunction: PM Pine Nut Order Granting Preliminary Inj.

US judge temporarily blocks wild horse roundup in Nevada (Associated Press) http://www.idahostatesman.com/2015/02/11/3640649_us-judge-temporarily-blocks-wild.html?rh=1

US judge “troubled” by mustang roundup planned in Nevada (Associated Press) went viral: http://www.idahostatesman.com/2015/02/09/3636398_us-judge-troubled-by-latest-mustang.html?rh=1

Lawsuit targets Nevada wild horse roundup (USA TODAY) http://usat.ly/1yNrjLy

Latest suit to block Nevada mustang roundups targets drugs (Associated Press) went viral: http://www.idahostatesman.com/2015/02/01/3622737_latest-suit-to-block-nevada-mustang.html?rh=1

Jan. 26th Press release: Protect Mustangs & Friends of Animals file lawsuit to stop Pine Nut Mountains roundup: http://protectmustangs.org/?p=7806

Wild-horse activists kicked out of federal meeting in Nevada, (Associated Press) went viral: http://bit.ly/1zHGrjY

Activists split on US agency”s plans to treat 250 mares with fertility-control drug in Nevada: (Associated Press) went viral:  http://www.washingtontimes.com/news/2014/dec/28/activists-rip-blms-plans-to-remove-750-more-mustan/

Forum on PZP: http://on.fb.me/1DfKqSJ

EPA Pesticide fact Sheet for PZP: http://1.usa.gov/1zKMiWy

Protect Mustangs on Facebook: https://www.facebook.com/ProtectMustangs

ProtectMustangs on Twitter: https://twitter.com/ProtectMustangs

Anne Novak on Twitter: https://twitter.com/TheAnneNovak

A brief history of wild horses in the news: http://bit.ly/1LsjGEz

Championing public comment and wild horses in court

 

PM Pine Nut 332 90K meme

Pine Nut wild horse roundup is on hold

In response to a lawsuit filed Jan.26 by Friends of Animals (FoA) and Protect Mustangs against the U.S. Bureau of Land Management (BLM), the roundup of wild horses and forced drugging of mares planned by the government agency in the Pine Nut Herd Management Area (HMA) of Nevada has been halted at least until Feb. 17.  The court has set Feb. 9 as the hearing date for FoA and Protect Mustangs to make their preliminary injunction motion.

 

Links of interest™

Plaintiffs Motion for  Preliminary Injunction and/or Temporary Restraining Order  PM Mot. Preliminary Inj._Pine Nut HMA_vfinal-2

Declaration of Cassandra Nuñez: PM Nunez_Decl _Final

Declaration of Craig Downer: PM Downer Decl_Pine Nut Roundup_Final

Declaration of Anne Novak:  Novak Decl _Pine Nut Round-up_signed

Declaration of Nicole Rivard: PM Rivard Decl._Signed_Pine Nut roundup

Complaint filed in court January 26, 2015: PM Complaint_As Filed_Pine Nut

Lawsuit targets Nevada wild horse roundup (USA TODAY) http://usat.ly/1yNrjLy

Jan. 26th Press release: Protect Mustangs & Friends of Animals file lawsuit to stop Pine Nut Mountains roundup: http://protectmustangs.org/?p=7806

Wild-horse activists kicked out of federal meeting in Nevada, (Associated Press) went viral: http://bit.ly/1zHGrjY

Activists split on US agency”s plans to treat 250 mares with fertility-control drug in Nevada: http://www.washingtontimes.com/news/2014/dec/28/activists-rip-blms-plans-to-remove-750-more-mustan/

Forum on PZP: http://on.fb.me/1DfKqSJ

EPA Pesticide fact Sheet for PZP: http://1.usa.gov/1zKMiWy

Protect Mustangs on Facebook: https://www.facebook.com/ProtectMustangs

ProtectMustangs on Twitter: https://twitter.com/ProtectMustangs

Anne Novak on Twitter: https://twitter.com/TheAnneNovak

A brief history of wild horses in the news: http://bit.ly/1LsjGEz

 

ACTION ALERT! USA TODAY Covers the lawsuit to PROTECT the Pine Nut Wild Horses #WildHorseWednesday

© Irma Novak, all rights reserved

© Irma Novak, all rights reserved

Send the USA TODAY article to your Congressional Rep and 2 Senators via email and fax. Tell them there are only 332 Pine Nut wild horses left on 90,000 acres close to Lake Tahoe and Carson City, NV. Ask your elected officials to intervene to PROTECT this federally protected and treasured herd who belongs to all Americans from coast to coast. Make sure they know they are UNDERPOPULATED (only 332 left on the vast range), healthy and loved by the community at large! Stop the Roundup and Stop Forcibly Drugging Native Wild Horses with PZP, Sterilizing them or Experimenting on them!

Here is the article in USA TODAY http://www.usatoday.com/story/news/nation/2015/01/28/nevada-pine-nut-wild-horse-roundup/22467797/  Thank you for publishing this!

Find your elected officials here: http://www.contactingthecongress.org

We have started an action group on Facebook and you are invited: PROTECT the PINE NUTS WILD HORSES here: https://www.facebook.com/groups/448585235292436/

This is just the beginning. JOIN www.ProtectMustangs.org for updates. $5 Membership fees can be sent to Contact@ProtectMustangs.org via PayPal.com and donation information is here. Thank you for taking action to protect the last remaining wild horses in America.

BREAKING NEWS: Sudden protest against BLM censorship, wild horse roundups and using PZP (pesticide) to manage wild horses to extinction

PM Edita Cat

 

BLM refused to hear public comments at “public” meeting

MINDEN, NV (January 22, 2015)—Edita Birnkrant, Campaigns Director for Friends of Animals (FoA) flew out from New York City with FoA correspondent Nicole Rivard to give public comments at the Bureau of Land Management (BLM) public meeting about the Carson City District Draft Resource Management Plan which calls to zero out 6 treasured herds of wild horses. After being denied her rights at the public meeting, held at the Carson Valley Inn in Minden, Nevada this afternoon, Birnkrant took over the microphone at the BLM meeting and held up yellow crime scene tape while Rivard filmed the protest against censorship and managing wild horses to extinction. Birnkrant was threatened with arrest by Nevada Sheriffs while holding up her banner. The hotel manager made Rivard stop filming and told the advocates they were being thrown out of the hotel, even though they had booked rooms there that night.

 

Statement from Edita Birnkrant:

“While we were waiting to go into the meeting a man told a BLM staffer “I wanna open up a horse butcher shop”. Then a few other guys started making jokes about how tender horse meat is. The BLM guy just chuckled but didn’t tell them it was inappropriate.

I was outraged that the BLM dared to hold a “public ” meeting and forbid the public from speaking. I took over the microphone to call out the sham of a BLM meeting, that shut out the public, and I said that Friends of Animals was there tonight to oppose the BLM’s extinction plan for wild horses in Nevada. I said the BLM is managing wild horses to extinction through roundups and PZP and we are outraged and demand it stop. I held our banner that said “Stop the BLM’s Criminal Reign of Terror. Protect Wild Horses Under the Endangered Species Act” The sheriffs were surrounding me at that point threatening to arrest me unless I left. I still had the banner and was shouting “the BLM is charged with crimes against wild horses”.

Then the hotel manager at the Carson Valley Inn in Minden, Nevada—Phil Dohrn–started bullying us and got in Nicole’s face. He pushed against her—blocking the camera and told her she had to shut her video off and we were getting thrown out.

Three extremely hostile sheriffs and the Carson Valley Inn manager escorted us to our rooms and waited outside while we packed our bags. They pounded on the door to hurry us or they’d arrest us. They called additional sheriffs to the hotel during all this. We left the hotel shocked that the Carson Valley Inn treats paying guests who exercise their First Amendment rights in their meeting room like this.”

The federal plan for public land in the Reno/Carson area is of interest to all Americans from coast to coast. Citizens care about public land and want federally protected wild horses protected by the law that allows them to roam freely without harassment.

PZP is an EPA approved restricted-use pesticide (http://www.epa.gov/pesticides/chem_search/reg_actions/pending/fs_PC-176603_01-Jan-12.pdf) that sterilizes wild mares after multiple use. Americans are learning about the dangers of PZP and are outraged the BLM would allow this to be used on wild horses.

Friends of Animals, an international animal protection organization founded in 1957, advocates for the rights of animals, free-living and domestic around the world. www.friendsofanimals.org

# # #

Friends of Animals’ public comments that advocates were not allowed to read and were given to Collen Sievers the BLM BLM Project Manager for Carson City District at the public hearing on the draft resource management plan for Carson City District

Edita Birnkrant, FoA’s campaigns director 917-940-2725

The opinion of the American public, as declared through Congress is clear: “wild free-roaming horses and burros are living symbols of the historic and pioneer spirit of the West; they contribute to the diversity of life forms within the Nation and enrich the lives of the American people.” BLM has an obligation to consider wild horses as an integral part of the natural system of public lands.

It appears from the Carson City’s Draft Resource Management Plan (RMP) and Environmental Impact Statement that the BLM failed to take into consideration critical information about wild horses and failed to consider any alternatives that promote a free and viable wild horse population.

Friends of Animal is here to urge BLM to reevaluate its Resource Management Plan.

We ask that BLM consider an alternative that: (1) maintains all wild horse herd management areas; (2) prohibits conflicting uses on herd management areas; and (3) prohibits efforts to eradicate wild horses, such as round-ups, fertility control and sterilization. BLM must take into consideration the small population of wild horses and the potential that they will be listed as a threatened or endangered species under the Federal Endangered Species Act. From a scientific perspective, wild horses on our public lands are at risk of extinction if BLM does not change its management plans.

BLM does not provide adequate area for wild horses. Under the current RMP, approximately 4.8 million acres of public lands covered by the plan are open for private ranchers to graze cattle and sheep while only 1.2 million acres are reserved for wild horses. In the preferred alternative the ratio or area available for cattle and sheep grazing is also more than 4 times that available for wild horses.

Moreover, under no alternative, are cattle and sheep prohibited from grazing on wild horse herd management areas. BLM must consider an alternative that provides contiguous habitat for wild horses to roam freely.

Second, all alternatives for the proposed Resource Management Plan allows BLM to continue managing horses at artificially low populations, or appropriate management levels. This results in expensive, and cruel round-ups that tear the wild horses from their homes and families and place them in tax funded holding facilities. This is one of the largest threat to wild horses on U.S. lands. Experts have warned that the “majority of wild equid populations managed by the BLM are kept at population sizes that are small enough for the loss of genetic variation to be a real concern.”

The Equid Specialist Group of IUCN Species Survival Commission recommends minimum populations of 2,500 individuals for the conservation of genetic diversity. Others have warned that populations managed with a target size of fewer than 500 horses are at some risk of losing more than 90 percent of selective neutral genetic variation over a period of 200 years.

There are no herds that have a large enough population to meet the recommendation of the IUCN Species Survival Commission – 2,500 animals—and only 1 out of 17 of the herd management areas in this planning area has an appropriate management level set to 500 or more. Limiting horses to an artificially low number is short-sighted and ineffective because it could prompt short-term population growth.

Finally, Friends of Animals submitted a petition to the US Fish and Wildlife Service asking it to recognize wild horses as threatened or endangered. The Endangered Species Act requires the government to make final determination on the petition within 12 months – which would be this June. The BLM should not undermine this legal process by allowing BLM to round-up and remove wild horses from Carson City herd management areas. Not only would such actions undermine the Endangered Species Act, but they would also put the viability of the horses here at risk. Instead the plan should recommend BLM halt all efforts to remove wild horses, and allow Fish and Wildlife Service to review the law and facts in regards to wild horses.
Nicole Rivard, correspondent, FoA 203-910-1217

As my colleague just pointed out, all but one of the 17 herd management areas in the Carson City District has an appropriate management level set to 500 or more. Everywhere else the loss of genetic viability is a real concern. So additional roundups, which destroy social structure that can lead to population spikes, as well as consideration of administering fertility control, should be removed from this Carson City District Plan immediately if not sooner.
While some wild horse advocates may claim fertility control drugs, such as PZP, is the lesser of two evils, we at FoA believe birth control is equally harmful and inhumane as roundups. In most cases—even the BLM admits this—wild horses would still have to be captured to be treated with the pesticide before being released.

The widespread use of PZP is really very contrary to the true core intent of the Wild Horse and Burro Act of 1971, which was to restore wild horses as naturally, integrated, harmonious components of the public land ecosystem who are not overly tampered with. Deciding which animal should give birth or not is a very invasive, unacceptable thing to do to these wild animals.

Studies have revealed adverse effects of PZP— that it sterilizes wild horses after multiple uses and results in risky foal birth out of season and significant behavioral changes that can affect the health of the herd.

BLM’s discussion regarding a population control program in the EIS is inaccurate and unsupported. They claim fertility control limits the stress of pregnancy on mares, and helps stallions as they will not be exerting extra energy fighting to control mares or raising foals.

What about the stress on mares of not being able to get pregnant as nature intended!

We urge the BLM to look beyond data provided by the Humane Society of the United States, which has a vested interest in PZP as it is the registrant of the pesticide, and Jay Kirkpatrick, the director of the Science and Conservation Center, which produces the active ingredient in PZP. For instance a 2009 Princeton University study of the horses on Shackleford Banks in North Carolina, who began getting PZP in 2000, showed that prolonged infertility has significant consequences on social behavior.

Researchers found that females who were receiving contraception were much more likely to change groups. Normally bands are really very stable, said researcher Cassandra Nunez, and mares will stay with males much if not all of their lives. That stability is really important for the health of the group members. Foal mortality increases when there are a bunch of different changes, and parasite load of animals in the group can go up because they are getting more stressed.

In a later study in 2010, Nunez found that recipients of PZP also extend the receptive breeding period into what is normally the non-breeding season, resulting in foal birth out of season.

Normally the winter is spent eating as much as they can, and everyone is more relaxed. Males tend to let females roam farther, which is good because food is patchier. So all of this is changing because of extended cycling.
Nunez also noted it’s taking a while for the contracepted mares, who were taken off PZP in 2009, to respond physiologically. So that flexibility that you think you have with PZP…it’s not really that flexible.”

It is imperative that BLM reduce the number of cattle and sheep allowed to graze on public lands, as well as consider holistic resource management plan, such as reserve design, which is described in detail in Craig Downer’s Book the Wild Horse Conspiracy. Both options would adequately protect these majestic animals so that they can persist for future generations.

Friends of Animals, an international animal protection organization founded in 1957, advocates for the rights of animals, free-living and domestic around the world. www.friendsofanimals.org

# # #

BLM Nevada News
CARSON CITY DISTRICT OFFICE NO. CCDO 2015-11
FOR RELEASE: November 28, 2014
CONTACT: Lisa Ross, 775-885-6107, lross@blm.gov

Draft Resource Management Plan Environmental Impact Statement Available for
BLM Carson City District

Carson City, Nev. – The Bureau of Land Management (BLM) is asking the public to review and comment on a Draft Resource Management Plan (RMP) and Environmental Impact Statement (EIS) for the Carson City District. The draft plan will affect approximately 4.8 million acres of public land. The comment period opened with the publication of a notice of availability in the Federal Register on November 28, 2014. Comments will be accepted during a 120-day period which closes March 27, 2015.

Public meetings to review and comment on the draft EIS will be announced at least 15 days in advance in local newspapers and on the BLM website.

The plan will address: Areas of Critical Environmental Concern, lands and realty, utility corridors, wind energy, travel management, recreation, fish and wildlife, minerals, wild and scenic rivers, public health and safety, and visual resource management.

Public meetings on the Draft RMP/Draft EIS are currently scheduled for 5:00 to 7:00 p.m.; on January 13, at the John Ascuaga’s Nugget (1100 Nugget Ave.) in Sparks, Nev.; on January 15, at the Fallon Convention Center (100 Campus Way) in Fallon, Nev.; on January 20, at the Mineral County Library (First & A Street) in Hawthorne, Nev.; on January 22, at the Carson Valley Inn (1627 US Hwy 395 N) in Minden, Nev.; and on January 29, at the Yerington Elementary School (112 N. California St.) in Yerington, Nev. An additional public meeting will be held from 2:00 to 4:00 p.m., on January 24, at the Carson City Plaza Hotel and Event Center (801 South Carson Street) in Carson City, Nev. Additional public meetings are anticipated in coordination with local County Commissions and Boards of Supervisors.

Written comments related to the Carson City District Draft RMP/Draft EIS may be submitted by any of the following methods:
• Website: http://on.doi.gov/1uYBNGT• E-mail: BLM_NV_CCDO_RMP@blm.gov
• Fax: 775-885-6147
• Mail: BLM Carson City District, Attn: CCD RMP, 5665 Morgan Mill Rd., Carson City, NV 89701.

Copies of the Carson City District Draft RMP/Draft EIS are available in the Carson City District Office at the above address or on the following website: http://on.doi.gov/1uYBNGT

Visit The Facebook Forum on PZP for more https://www.facebook.com/groups/ForumPZPWildHorsesBurros

#horses #animals #AnimalCruelty #FreeSpeech #Nevada #Tourism #WildHorses #mustangs #Tesla #money #energy #mining #water #yelp #hotel #travel #Reno #Tahoe #Sheriff #Carson #PZP #EPA #roundup #America

Pinenuts wild horses featured in French TV documentary ~ STOP the ROUNDUP

 

La chasse au mustangs (2010)

 

“I’m grateful to have worked on this film together with the French director and cinematographer and thankful we were able to get such revealing footage. Thank you to Barbara Clarke at DreamCatcher Sanctuary and Laura Leigh who stood in for Craig Downer who was unreachable and out in the field the day we shot this. All the scenes in the wild were shot in the Pinenut Herd Management Area (HMA) near Carson City and close to Reno/Tahoe. These horrible roundups must be stopped. Contact your senators and representative and request they stop this tragedy paid for with tax dollars.” –Anne Novak, Executive Director of Protect Mustangs  (Video ©2010 TF1)

Now the BLM and the PZP Advocates want to roundup the Pine Nut Herd and give them the EPA restricted-use pesticide known as PZP-22 which sterilizes after multiple us. Protect Mustangs is against PZP and roundups. America’s wild horses deserve to be forever wild and free.

BLM Press Release Date: 01/20/15
Contacts: 775-885-6107
News Release No. 2015-15

BLM to Host Tour of Pine Nut Herd Management Area Gather

Carson City, Nev. – The Carson City District, Sierra Front Field Office is holding a public pre-gather tour on Friday, January 23, 2015. The public will meet at the Dayton Valley Dog Park (located at Old Como and Dayton Valley Road) in Dayton, Nevada, at 10:00 a.m. The tour is expected to last approximately three hours. Because of road conditions a four wheel-drive high clearance vehicle is required. Visitors must RSVP by calling the Gather Information Hotline at 775-861-6700, option 2 and leave a message, or call Lisa Ross, Public Affairs Specialist, at 775-885-6107, email lross@blm.gov.

“This pre-gather tour is being offered to provide an opportunity for the interested public to obtain information about the Pine Nut Gather, by interacting with BLM staff as they provide an overview of gather operations,” said Sierra Front Field Manager Leon Thomas.

The BLM will gather approximately 332 wild horses and remove approximately 200 excess wild horses within and outside the Pine Nut Herd Management Area (HMA). As many as 132 wild horses will be released back to the range following the gather. The gather area is located south of Dayton and east of Carson City and Gardnerville, Nevada within Lyon, Douglas, and Carson City Counties. The gather is scheduled to begin late January 2015.

A population inventory completed in August 2014 documented 332 wild horses. The Appropriate Management Level (AML) for the HMA is 119-179 wild horses. Based on the inventory, and monitoring data showing impacts from an over-population of the HMA, BLM has determined that removal of the excess wild horses is necessary to achieve a thriving natural ecological balance.
Protect Mustangs is against the BLM’s false comment here: Excessive grazing from wild horses has not only degraded the sage-grouse habitat, but has also reduced the availability of native forage grasses within the HMA, thereby decreasing the number of wild horses that can be supported by current range conditions. Wild horses are not the source of habitat degradation but off road vehicles are. It’s time for the BLM to tell the truth.
Of the approximately 132 wild horses released back to the range, an estimated 66 mares will receive a 22-month Porcine Zona Pellucida (PZP-22) immunocontraceptive vaccine treatment prior to release. This vaccine will extend the time between gathers, and reduce the number of excess wild horses that would need to be removed in the future. The sex ratio of the released animals will be dependent on the sex ratio of the gathered wild horses. [PZP is an EPA approved restricted-use pesticide as seen here: http://www.epa.gov/pesticides/chem_search/reg_actions/pending/fs_PC-176603_01-Jan-12.pdf  For more information, facts and public discussion about PZP visit the PZP Forum on Facebook here: https://www.facebook.com/groups/ForumPZPWildHorsesBurros]
For more information contact Lisa Ross at 775-885-6107.

The BLM manages more than 245 million acres of public land, the most of any Federal agency. This land, known as the National System of Public Lands, is primarily located in 12 Western states, including Alaska. The BLM also administers 700 million acres of sub-surface mineral estate throughout the nation. The BLM’s mission is to manage and conserve the public lands for the use and enjoyment of present and future generations under our mandate of multiple-use and sustained yield. In Fiscal Year 2013, the BLM generated $4.7 billion in receipts from public lands.
–BLM–
Carson City District 5665 Morgan Mill Road Carson City, NV 89703 http://www.blm.gov/nv/st/en/info/newsroom/2015/january/blm_to_host_tour_of.html