Abstract
The Northern Spotted Owl (Strix occidentalis caurina) (NSO) was listed as federally threatened in 1992 due to widespread logging of its old-growth forest habitat. The NSO recovery plan in 2011 elevated competition with Barred Owls (Strix varia) (BO) and wildfires as primary NSO threats based partly on the assumption that severely burned forests were no longer NSO nesting and roosting habitat. We quantified amount of logging before and/or after wildfire and opportunistic detections of BOs within two home range scales (0.8 and 2.09 km) at 105 NSO sites that experienced severe wildfire from 2000–2017. Logging affected 87% of severely burned NSO sites, with BO recorded at 22% of burned-and-logged sites. Most (60%) severely burned NSO sites had evidence of logging both before and after fires while only 12% of severely burned sites had no logging or BO detections, indicating rarity of NSO territories subjected to severe fire without the compounding stressors of logging and invasive BOs. We recommend changes to NSO habitat modeling that assume nesting and roosting habitat is no longer viable if severely burned, and to the U.S. Fish and Wildlife Service’s practice of granting incidental take permits for NSOs in logging operations within severely burned owl sites.
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