January 4, 2007
For immediate release
Contact:
Marc Morano marc_morano@epw.senate.gov
or 202-224-5762
Matt Dempsey matthew_dempsey@epw.senate.gov
or 202-224-9797
Washington, D.C.
– Senator James Inhofe (R-Okla.) delivered a Senate floor speech
today analyzing the proposed Endangered Species Act listing of the
Polar Bear by the U.S. Fish and Wildlife Service. Following is an
excerpt of Senator Inhofe’s speech today:
“A 2002 U.S.
Geological Survey of wildlife in the Arctic Refuge Coastal Plain
noted that the polar bear populations ‘may now be near historic
highs.’ So if the number of polar bears does not appear to be in
decline, why are we considering listing the species as threatened?
Because the ESA is broken and this proposal is indicative of what is
wrong with it,” Senator Inhofe said. “In the proposal, the Fish
and Wildlife Service acknowledges that for seven of the 19 worldwide
polar bear populations, the Service has no population trend data of
any kind,” he added.
“The [ESA] law
also allows for the Fish and Wildlife Service to justify its
proposal on a sample from a single population in Western Hudson Bay
in Canada, where bear populations have decreased by 259 polar bears
in the last 17 years. Yet hunting was allowed during that entire
period in the Western Hudson Bay population. In fact, according to
the latest figures collected by the International Union for
Conservation of Nature and Natural Resources, 234 bears have been
killed in the last 5 years alone. How many more were killed in the
previous 12 years and what overall affect did this have on
population numbers?” Senator Inhofe said.
“Ironically,
the Canadian government is right now considering a proposal to
increase the quota on the harvesting of polar bears in the Western
Hudson Bay population. This would allow more hunting of the
population whose condition is so dire that the Service based its
listing decision on it. While I support hunting as a general matter,
we need to fully understand its impact on the polar bear populations
before we blame global warming for changes in bear populations.
“The Fish and
Wildlife Service asserts that the reason for the decline in the
Western Hudson Bay population is climate-change-induced ice melting.
To make that assertion, they rely on hypothetical climate change
computer models showing massive loss of ice that irreparably damages
the polar bear’s habitat. The
Service then extrapolates that reasoning to the other 18 populations
of polar bears, making the assumption that all bears in these
populations will eventually decline and go extinct. Again, this
conclusion is not based on field data but on hypothetical modeling
and that is considered perfectly acceptable ‘scientific
evidence’ under the ESA.
“I do not
believe our federal conservation policy should be dictated by
hypothetical computer projections because the stakes of a listing
decision under ESA can be extremely high. The listing of the polar
bear is no exception.”
Full transcript
of Senator Inhofe's speech, "The Polarizing Politics of the
Polar Bear"
Senate floor
speech delivered on January 4, 2007
Mr. President, I
rise today to address the U.S. Fish & Wildlife Service’s
recent action to begin formal consideration of whether to list the
polar bear as a threatened species under the Endangered Species Act
(ESA). Over the next year, the Fish and Wildlife Service will
examine scientific and commercial data regarding the health of the
polar bear population and evaluate the presence of any threats to
its existence.
The question that
the Fish and Wildlife Service must answer is: Is there clear,
scientific evidence that current worldwide polar bear populations
are in trouble and facing possible extinction in the foreseeable
future?
As the Fish and
Wildlife Service reviews the issue over the next year, I feel
confident they will conclude as I have, that listing the polar bear
is unwarranted.
In the proposal,
the Fish and Wildlife Service acknowledges that for seven of the 19
worldwide polar bear populations, the Service has no population
trend data of any kind. Other
data suggest that for an additional five polar bear populations, the
number of bears is not declining and is stable. Two more of the bear
populations showed reduced numbers in the past due to over hunting,
but these two populations are now increasing because of hunting
restrictions.
Other sources of
data mentioned in a recent Wall Street Journal piece, suggest that
“there are more polar bears in the world now than there were 40
years ago.” The Fish and Wildlife Service estimates that the polar
bear population is 20,000 to 25,000 bears, whereas in the 1950s and
1960s, estimates were as low as 5,000-10,000 bears due to sport
hunting, which has since been restricted.
A 2002 U.S.
Geological Survey of wildlife in the Arctic Refuge Coastal Plain
noted that the polar bear populations “may now be near historic
highs.”
So if the number
of polar bears does not appear to be in decline, why are we
considering listing the species as threatened? Because the ESA is
broken and this proposal is indicative of what is wrong with it.
The ESA allows
the Service to list the entire range of polar bears as threatened
and thereby extend a wide array of regulatory restrictions to them
and their habitat, despite a dearth of data and the lack of
scientific evidence that polar bears are indeed in trouble.
The law also
allows for the Fish and Wildlife Service to justify its proposal on
a sample from a single population in Western Hudson Bay in Canada,
where bear populations have decreased by 259 polar bears in the last
17 years. Yet hunting was allowed during that entire period in the
Western Hudson Bay population. In fact, according to the latest
figures collected by the International Union for Conservation of
Nature and Natural Resources, 234 bears have been killed in the last
5 years alone. How many more were killed in the previous 12 years
and what overall affect did this have on population numbers?
Ironically, the
Canadian government is right now considering a proposal to increase
the quota on the harvesting of polar bears in the Western Hudson Bay
population. This would allow more hunting of the population whose
condition is so dire that the Service based its listing decision on
it. While I support hunting as a general matter, we need to fully
understand its impact on the polar bear populations before we blame
global warming for changes in bear populations.
The Fish and
Wildlife Service asserts that the reason for the decline in the
Western Hudson Bay population is climate-change-induced ice melting.
To make that assertion, they rely on hypothetical climate change
computer models showing massive loss of ice that irreparably damages
the polar bear’s habitat. The
Service then extrapolates that reasoning to the other 18 populations
of polar bears, making the assumption that all bears in these
populations will eventually decline and go extinct. Again, this
conclusion is not based on field data but on hypothetical modeling
and that is considered perfectly acceptable “scientific
evidence” under the ESA.
I do not believe
our federal conservation policy should be dictated by hypothetical
computer projections because the stakes of a listing decision under
ESA can be extremely high. The listing of the polar bear is no
exception.
The ESA is the
most effective federal tool to usurp local land use control and
undermine private property rights. As landowners and businesses have
known for decades, when you want to stop a development project or
just about any activity, find a species on that land to protect and
things slow down or many times stop altogether. This is because
Section 7 of the ESA requires that any project that involves the
federal government in any way must meet the approval of the Fish and
Wildlife Service before the project can move forward. This federal
government involvement in a project can take the form of a federal
grant, an environmental permit, a grazing allotment, a pesticide
registration or land development permit. The law requires that the
Fish and Wildlife Service intervene and determine if the project may
affect an endangered or threatened species.
So in the case of
the polar bear listing, oil and gas exploration in Alaska, which
accounts for 85% of the state’s revenue and 25% of the nation’s
domestic oil production, is immediately called into question.
Likewise, the state’s shipping, highway construction, or fishing
activities will be also be subject to federal scrutiny under Section
7.
Furthermore,
because the Fish and Wildlife Service has linked the ice flow
habitat concerns of polar bears to global climate change, all kinds
of projects around the country could be challenged. Some will say
that this is not possible or that I'm exaggerating. But if you take
the ESA to its logical conclusion, which is certain to be done by
environmental special interests, any activity that allegedly affects
climate change or greenhouse gas emissions may have to be evaluated
and approved by Fish and Wildlife Service for its effect on the ice
flows on which polar bears depend. Thus, this proposal could be the
ultimate assault on local land use decision-making and suppression
of private property rights to date.
So it is
important that we take the next year to gather and critically
evaluate more science about these impressive creatures to determine
whether or not they really are in trouble. We need to replace
speculation and uncertainty with facts and figures. I
look forward to working with the Fish and Wildlife Service on this
important listing decision and I firmly believe that the science
will show that the evidence pointing to a threat to polar bears is
not sufficient to warrant federal ESA protection and all the
regulatory land use control that comes with it.
U.S. Senate Committee on Environment and Public Works (EPW):
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