Endangered and Threatened Species; Revision of Critical Habitat for the Northern Right Whale in the Pacific Ocean, 6999-7001 [E6-1887]
Download as PDF
Federal Register / Vol. 71, No. 28 / Friday, February 10, 2006 / Proposed Rules
vi. Federal Rules That May Duplicate,
Overlap, or Conflict With the Proposed
Rule
35. None.
C. Ordering Clauses
36. Accordingly, it is ordered that,
pursuant to sections 4(i), 303(r), and
309(j) of the Communications Act of
1934, as amended, 47 U.S.C. 154(i),
303(r), and 309(j), this Further Notice of
Proposed Rule Making is hereby
adopted.
37. It is further ordered that the
Commission’s Consumer and
Governmental Affairs Bureau, Reference
Information Center, shall send a copy of
this Further Notice of Proposed Rule
Making, including the Initial Regulatory
Flexibility Analysis, to the Chief
Counsel for Advocacy of the Small
Business Administration.
Federal Communications Commission.
Marlene H. Dortch,
Secretary.
[FR Doc. 06–1290 Filed 2–9–06; 8:45 am]
BILLING CODE 6712–01–P
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 226
[I.D. 101405C]
RIN 0648–AT84
Endangered and Threatened Species;
Revision of Critical Habitat for the
Northern Right Whale in the Pacific
Ocean
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Proposed rule, reopening of
public comment period.
hsrobinson on PROD1PC70 with PROPOSALS
AGENCY:
SUMMARY: On November 2, 2005, NMFS
published a proposed rule to revise
current critical habitat (CH) under the
Endangered Species Act of 1973 (ESA)
for the northern right whale (Eubalaena
glacialis) by designating areas within
the North Pacific Ocean. Two areas are
proposed for designation: an area in the
southeast Bering Sea and a second area
in the Gulf of Alaska south of Kodiak
Island. In response to a request, a public
hearing on this proposed rule will be
held on March 2, 2006, in Anchorage,
AK.
The hearing will be held in
Anchorage, AK on Thursday, March 2,
2006, from 3 p.m. to 5 p.m. The public
DATES:
VerDate Aug<31>2005
13:32 Feb 09, 2006
Jkt 208001
comment period on the proposed rule
(70 FR 66332) will reopen on February
10, 2006 so that additional comments
submitted at, or in response to the
hearing may be considered in the
promulgation of the final rule. Any
additional comments on this proposed
rule must be received on or before
March 9, 2006.
The hearing will be in room
154 of the U.S. Federal Office Building,
222 W. 7th Avenue, Anchorage, AK.
Send comments to Kaja Brix, Assistant
Regional Administrator, Protected
Resources Division, AK Region, NMFS,
Attn: Ellen Walsh. Comments may be
submitted by:
• E-mail: 0648–AT84–
NPRWCH@noaa.gov. Include in the
subject line the following document
identifier: Right Whale Critical Habitat
PR. E-mail comments, with or without
attachments, are limited to 5 megabytes.
• Webform at the Federal
eRulemaking Portal: https://
www.regulations.gov. Follow the
instructions at that site for submitting
comments.
• Mail: P. O Box 21668, Juneau, AK
99802
• Hand delivery to the Federal
Building : 709 W. 9th Street, Juneau, AK
.
• Fax: (907) 586–7012
The proposed rule, maps, stock
assessments, and other materials
relating to this proposal can be found on
the NMFS Alaska Region website https://
www.fakr.noaa.gov/.
ADDRESSES:
FOR FURTHER INFORMATION CONTACT:
Brad
Smith, (907) 271–3023, e-mail:
Brad.Smith@NOAA.gov or Marta
Nammack, (301) 713–1401.
SUPPLEMENTARY INFORMATION:
Regulations governing petitions to
revise critical habitat under the ESA
provide that a public hearing shall be
held if any person so requests within 45
days of publication of a proposed
regulation (50 CFR 424.16(c)(3)). Notice
of such hearing is to be published in the
Federal Register no later than 15 days
prior to the hearing.
Comments and Responses
The November 2 proposed rule
concerning designation of critical
habitat established a comment period
ending on January 3, 2006. Twenty-one
comments were received on the
proposed rule. These comments are
summarized below. Responses to these
and to comments received during the
public hearing will appear in the final
rule on this action.
PO 00000
Frm 00012
Fmt 4702
Sfmt 4702
6999
Size of Proposed Critical Habitat is Too
Large
Comment: The southern and western
boundaries of the proposed critical
habitat in the Bering Sea are based on
very few right whale sightings.
Eliminating these areas would reduce
the extent of the critical habitat from
27,700 to 24,000 square miles but retain
approximately 99 percent of all
sightings.
Comment: The area designated as CH
is arbitrary because there is no obvious
correlation between copepod abundance
and the distribution of the northern
right whale.
Proposed Critical Habitat is Too Small
Comment: The proposed designations
fail to address unoccupied right whale
habitat. Additional areas outside of the
known range of the northern right whale
at the time of ESA listing should be
included in this designation.
Comment: The extent of the areas
proposed for designation as critical
habitat in the North Pacific Ocean
would not be sufficient to provide for
the recovery of the northern right whale.
Comment: The proposed designation
is negatively biased in that it is based on
sighting effort which is not consistent
over the range of the northern right
whale. Therefore, the designation
should be expanded to compensate for
this bias. Both right whales and their
Primary Constituent Elements (PCE’s)
are likely to occur elsewhere in
densities equivalent to those occurring
in the designated critical habitats.
Comment: The proposed designation
should be expanded to recognize the
probability of increased importance of
adjacent areas, and to be consistent with
similar efforts to designate CH for the
northern right whale in the North
Atlantic Ocean.
Comment: The precautionary
principle requires NMFS to designate
other areas with similar habitat
conditions as CH.
Comment: The designation should
include State of Alaska waters because
they have nearly identical features to
the proposed CH areas.
Comment: NMFS should consider
designation of adjacent areas to preserve
diversity and act as buffer areas.
Comment: NMFS should include in
its designation historical right whale
habitat which was essential to their
conservation.
Comment: NMFS data demonstrate
right whales are found through Unimak
Pass and eastward to Kodiak Island.
These waters also contain important
features or serve important biological
needs and should be added to the areas
proposed for designation.
E:\FR\FM\10FEP1.SGM
10FEP1
7000
Federal Register / Vol. 71, No. 28 / Friday, February 10, 2006 / Proposed Rules
Comment: NMFS should include
migratory corridors or transitional
waters between high use habitats of the
northern right whale in its CH
designation. This should include the
waters from Umnak Pass to Unimak
Pass.
Comment: NMFS should review data
from the past century and designate CH
for areas where right whale
concentrations overlay known areas of
prey abundance.
Comment: Critical habitat should be
designated to include those physical
features which promote fronts,
upwelling, and dynamic advection of
nutrient-rich waters that promote
zooplankton productivity.
Primary Constituent Elements
Comment: Feeding areas should be
identified as a Primary Constituent
Element (PCE) for the northern right
whale.
Comment: PCE’s are defined too
narrowly in the proposed rule. Other
elements are also critical to
conservation of this species.
Comment: By defining PCEs as only
the zooplankton species, NMFS has
created a situation where impaired
water quality and other impacts would
not result in adverse modification of the
CH.
Comment: NMFS should follow the
example of the Steller’s eider and
spectacled eider by identifying PCE’s to
include all marine waters of appropriate
depths, along with the underlying
marine benthic community.
Comment: PCE’s should include
ocean passes and channels used by right
whales.
hsrobinson on PROD1PC70 with PROPOSALS
Research
Comment: More research is needed to
describe PCEs for the northern right
whale.
Comment: NMFS should increase
efforts to place radio tags on right
whales.
Comment: Additional research is
necessary to describe habitat use and
preferences, migratory patterns,
breeding and calving, and factors
affecting the recovery of the northern
right whale.
Comment: NMFS should dedicate
more effort to study vessel interaction
and collision avoidance by right whales.
Prohibitions and Activities in Critical
Habitat
Comment: Critical habitat must be
protected from more than just activities
which may affect copepods. Protection
is also needed from the effects of ship
strikes, fishing gear interaction, changes
in sea temperatures and environmental
conditions caused by humans.
VerDate Aug<31>2005
13:32 Feb 09, 2006
Jkt 208001
Comment: Designation of CH should
not include amendment of fishery
management measures as there is no
evidence of fisheries interaction,
including ship strikes, with right whales
in the North Pacific Ocean.
Comment: Oil and gas development is
incompatible with the ecology and
economy of Bristol Bay and the
Northeast Pacific Region. Major oil
spills, related discharges, seismic
activity, and ship strikes are all oil and
gas-related actions which constitute
adverse modification of CH.
Comment: Specific, focused reference
to the oil and gas industry as
representing a threat to the proposed
right whale CH should be removed from
the proposed rule.
Comment: Designation of CH will
open the citizen suit provisions of the
ESA and result in litigation and delays
in projects. Economic activities that are
not impacting right whale recovery will
be negatively impacted.
Comment: Designation of CH will lead
to regulatory creep and increase costs
through added consultations and
mitigation measures imposed by the
Federal Government.
Economic Considerations
Comment: NMFS has correctly
characterized both the economic
significance of commercial fishing to the
region, State, and Nation, and the
effective absence of the possibility that
commercial fishing can destroy or
adversely modify the proposed CH for
northern right whales in the Eastern
Bering Sea (EBS) and Gulf of Alaska
(GOA).
Comment: While no adverse
economic or operational impacts on
commercial fisheries are associated with
the proposed designation, a
modification of the southern and
western boundaries (reduction) of CH in
the EBS makes sense and would reduce
the possibility of any even hypothetical
future impacts on fishing activity.
Comment: In addition to the
recommended exclusions of areas in the
south and west of the proposed CH for
northern right whales in the EBS to
accommodate commercial fishing, the
northern boundary should be moved
south (reduced) from the proposed
58°00’ N. to 57°30’ N., owing to the
presence of economically significant
commercial fishing activity (bottom
trawling) traditionally conducted there.
Comment: A substantial portion
(especially the southern and eastern
sections) of the proposed designation of
CH in the EBS coincides with Outer
Continental Shelf (OCS) Leasing Areas
projected to have high to moderate
natural gas production potential, and
PO 00000
Frm 00013
Fmt 4702
Sfmt 4702
moderate oil production potential. The
economic and development benefits of
these areas (in particular, the Aleutian
Basin Area) justify their exclusion under
provisions of the ESA.
Comment: The communities that are
located in remote western Alaska,
adjacent to the proposed designation,
chronically suffer from inadequate
economic development and
opportunity. The entire region would
benefit from economic diversification,
such as that which would accompany
oil and gas exploration and
development. The proposed designation
of CH in the EBS could increase cost,
significantly delay, or even prevent such
economic development, while
contributing nothing to the conservation
and recovery of the right whale
population.
Comment: Inferences about the risk of
fishing gear entanglements and/or vessel
strikes of right whales in the North
Pacific, based upon such experiences in
the North Atlantic, are inappropriate
and unsupported by evidence or data.
The nature and magnitude of fishing
and other economic activity within the
two marine environments are
fundamentally different and not
comparable.
Comment: The area of the EBS
encompassed by the proposed CH
boundaries contain the vast majority of
groundfish, crab, and halibut resources
harvested by commercial fisheries in
this region. They have a combined
direct economic gross value of well over
$1 billion dollars, annually, and are
vital to fishermen, processors, and
fishery-dependent communities in
Alaska. NMFS should explain how, or
if, designation of CH for the right whale
would affect fishery management
actions that would be pursued if the
incidental take of a right whale would
occur in commercial fisheries.
Comment: The Executive OCS
Deferral through 2012 requires that the
North Aleutian Basin be excluded from
the Five-Year OCS leasing program.
This remains a sound decision and any
analysis of the proposed designation
must recognize that restrictions on
petroleum development in the proposed
areas impose no new economic costs to
society.
Comment: MMS estimates reserves of
7 trillion cubic feet of natural gas and
230 million barrels of oil in the North
Aleutian Basin. Approximately 20
percent of the high prospective geologic
basin lies within the southeast corner of
the proposed CH area (approximately 8
percent of the proposed designation of
CH in the EBS). At risk, therefore, is
about 20 percent of the estimated $19
billion in Federal revenues, an
E:\FR\FM\10FEP1.SGM
10FEP1
Federal Register / Vol. 71, No. 28 / Friday, February 10, 2006 / Proposed Rules
hsrobinson on PROD1PC70 with PROPOSALS
estimated 5,000 construction jobs, and
sufficient supplies of natural gas,
necessary to justify construction and
operation of an liquified natural gas
(LNG) facility in the area.
Comment: Given the critical status of
this species and the requirements put
forth in sections 4 and 9 of the ESA, the
need for protection of right whales and
designation of CH outweighs any
potential economic impacts of
introducing such protection. It is also
important to consider the economic
benefit of the survival of this species.
Comment: NMFS has created, by its
own admission, CH that will not be
adversely modified by oil or gas
exploration activity.
Comment: Currently, neither the
North Aleutian Basin nor the St. George
Basin Planning areas are available for
lease, owing to the 2012 deferral order.
Many steps must occur before a field in
either of these areas could reach
production and none of these steps are
certain to occur.
Comment: The proposed EBS
designation incorporates about one third
of the (oil and gas) high-potential part
of North Aleutian Basin and most of the
area of potential in St. George Basin. No
exploration drilling has taken place in
the North Aleutian Basin (one nonexploratory well was drilled in 1983).
Economic studies show that the
marginal prices for the North Aleutian
Basin are well below current market
prices, illustrating economically
producible resources could exist at
much lower than current prices,
VerDate Aug<31>2005
13:32 Feb 09, 2006
Jkt 208001
improving the area’s feasibility as a
potential energy source. If this area
becomes available for leasing, if prelease oil and gas exploration reveals
commercial quantities of petroleum, if
market conditions remain favorable, if
commercial discoveries are of a scale to
support LNG exports, then the direct
revenues to federal, state, and local
governments could approach $15 billion
over a 30–year life cycle. Indirect
benefits and economic multiplier effects
to the Alaska economy are also likely to
be several billions of dollars.
Comment: A basic cost/benefit
analysis is submitted for petroleum
activities in the North Aleutian
Planning Area to demonstrate the
economic potential and revenues that
may be associated with commercial
development. The overall conclusion is
economic benefits would accrue to
Federal, state, and local governments, as
well as the Alaska economy, if a leasing
program in the North Aleutian planning
area results in commercial development
of gas and oil on the scale envisioned by
the MMS modeling scenario.
Other Comments
Comment: NMFS should designate
CH as Marine Sanctuaries because this
would protect other marine assets such
as corals.
Comment: NMFS should recognize
the voluntary conservation efforts of the
fishing industry towards public
awareness and avoidance of vessel
strikes.
Comment: The Federal Register
notice should include data on the
PO 00000
Frm 00014
Fmt 4702
Sfmt 4702
7001
seasonal occurrence of right whales in
the proposed CH areas, present an
analysis of vessel and fishing gear
interaction based on photographic
evidence, and discuss the effects of
climate change and variable ice patterns
on copepods.
Comment: The Alaska Outer
Continental Shelf oil and gas leasing
program has existed for 30 years, during
which time the MMS has demonstrated
that industry activities can be carried
out in a manner that does not jeopardize
the continued existence of threatened or
endangered species, or adversely affect
designated critical habitat.
Comment: There is no evidence that
commercial trawling in the North
Pacific or Eastern Bering Sea results in
any adverse impacts on the benthic
environment, and certainly none that
could adversely impact the PCEs
identified under the proposed
designation of CH in these areas.
Special Accommodations
This hearing is physically accessible
to people with disabilities. Requests for
sign language interpretation or other
auxiliary aids should be directed to
Brad Smith (see FOR FURTHER
INFORMATION CONTACT) at least 10
business days in advance of the hearing.
Dated: February 6, 2006.
James H. Lecky,
Director, Office of Protected Resources,
National Marine Fisheries Service.
[FR Doc. E6–1887 Filed 2–9–06; 8:45 am]
BILLING CODE 3510–22–S
E:\FR\FM\10FEP1.SGM
10FEP1
Agencies
[Federal Register Volume 71, Number 28 (Friday, February 10, 2006)]
[Proposed Rules]
[Pages 6999-7001]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E6-1887]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
50 CFR Part 226
[I.D. 101405C]
RIN 0648-AT84
Endangered and Threatened Species; Revision of Critical Habitat
for the Northern Right Whale in the Pacific Ocean
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Proposed rule, reopening of public comment period.
-----------------------------------------------------------------------
SUMMARY: On November 2, 2005, NMFS published a proposed rule to revise
current critical habitat (CH) under the Endangered Species Act of 1973
(ESA) for the northern right whale (Eubalaena glacialis) by designating
areas within the North Pacific Ocean. Two areas are proposed for
designation: an area in the southeast Bering Sea and a second area in
the Gulf of Alaska south of Kodiak Island. In response to a request, a
public hearing on this proposed rule will be held on March 2, 2006, in
Anchorage, AK.
DATES: The hearing will be held in Anchorage, AK on Thursday, March 2,
2006, from 3 p.m. to 5 p.m. The public comment period on the proposed
rule (70 FR 66332) will reopen on February 10, 2006 so that additional
comments submitted at, or in response to the hearing may be considered
in the promulgation of the final rule. Any additional comments on this
proposed rule must be received on or before March 9, 2006.
ADDRESSES: The hearing will be in room 154 of the U.S. Federal Office
Building, 222 W. 7th Avenue, Anchorage, AK. Send comments to Kaja Brix,
Assistant Regional Administrator, Protected Resources Division, AK
Region, NMFS, Attn: Ellen Walsh. Comments may be submitted by:
E-mail: 0648-AT84-NPRWCH@noaa.gov. Include in the subject
line the following document identifier: Right Whale Critical Habitat
PR. E-mail comments, with or without attachments, are limited to 5
megabytes.
Webform at the Federal eRulemaking Portal: https://
www.regulations.gov. Follow the instructions at that site for
submitting comments.
Mail: P. O Box 21668, Juneau, AK 99802
Hand delivery to the Federal Building : 709 W. 9th Street,
Juneau, AK .
Fax: (907) 586-7012
The proposed rule, maps, stock assessments, and other materials
relating to this proposal can be found on the NMFS Alaska Region
website https://www.fakr.noaa.gov/.
FOR FURTHER INFORMATION CONTACT: Brad Smith, (907) 271-3023, e-mail:
Brad.Smith@NOAA.gov or Marta Nammack, (301) 713-1401.
SUPPLEMENTARY INFORMATION: Regulations governing petitions to revise
critical habitat under the ESA provide that a public hearing shall be
held if any person so requests within 45 days of publication of a
proposed regulation (50 CFR 424.16(c)(3)). Notice of such hearing is to
be published in the Federal Register no later than 15 days prior to the
hearing.
Comments and Responses
The November 2 proposed rule concerning designation of critical
habitat established a comment period ending on January 3, 2006. Twenty-
one comments were received on the proposed rule. These comments are
summarized below. Responses to these and to comments received during
the public hearing will appear in the final rule on this action.
Size of Proposed Critical Habitat is Too Large
Comment: The southern and western boundaries of the proposed
critical habitat in the Bering Sea are based on very few right whale
sightings. Eliminating these areas would reduce the extent of the
critical habitat from 27,700 to 24,000 square miles but retain
approximately 99 percent of all sightings.
Comment: The area designated as CH is arbitrary because there is no
obvious correlation between copepod abundance and the distribution of
the northern right whale.
Proposed Critical Habitat is Too Small
Comment: The proposed designations fail to address unoccupied right
whale habitat. Additional areas outside of the known range of the
northern right whale at the time of ESA listing should be included in
this designation.
Comment: The extent of the areas proposed for designation as
critical habitat in the North Pacific Ocean would not be sufficient to
provide for the recovery of the northern right whale.
Comment: The proposed designation is negatively biased in that it
is based on sighting effort which is not consistent over the range of
the northern right whale. Therefore, the designation should be expanded
to compensate for this bias. Both right whales and their Primary
Constituent Elements (PCE's) are likely to occur elsewhere in densities
equivalent to those occurring in the designated critical habitats.
Comment: The proposed designation should be expanded to recognize
the probability of increased importance of adjacent areas, and to be
consistent with similar efforts to designate CH for the northern right
whale in the North Atlantic Ocean.
Comment: The precautionary principle requires NMFS to designate
other areas with similar habitat conditions as CH.
Comment: The designation should include State of Alaska waters
because they have nearly identical features to the proposed CH areas.
Comment: NMFS should consider designation of adjacent areas to
preserve diversity and act as buffer areas.
Comment: NMFS should include in its designation historical right
whale habitat which was essential to their conservation.
Comment: NMFS data demonstrate right whales are found through
Unimak Pass and eastward to Kodiak Island. These waters also contain
important features or serve important biological needs and should be
added to the areas proposed for designation.
[[Page 7000]]
Comment: NMFS should include migratory corridors or transitional
waters between high use habitats of the northern right whale in its CH
designation. This should include the waters from Umnak Pass to Unimak
Pass.
Comment: NMFS should review data from the past century and
designate CH for areas where right whale concentrations overlay known
areas of prey abundance.
Comment: Critical habitat should be designated to include those
physical features which promote fronts, upwelling, and dynamic
advection of nutrient-rich waters that promote zooplankton
productivity.
Primary Constituent Elements
Comment: Feeding areas should be identified as a Primary
Constituent Element (PCE) for the northern right whale.
Comment: PCE's are defined too narrowly in the proposed rule. Other
elements are also critical to conservation of this species.
Comment: By defining PCEs as only the zooplankton species, NMFS has
created a situation where impaired water quality and other impacts
would not result in adverse modification of the CH.
Comment: NMFS should follow the example of the Steller's eider and
spectacled eider by identifying PCE's to include all marine waters of
appropriate depths, along with the underlying marine benthic community.
Comment: PCE's should include ocean passes and channels used by
right whales.
Research
Comment: More research is needed to describe PCEs for the northern
right whale.
Comment: NMFS should increase efforts to place radio tags on right
whales.
Comment: Additional research is necessary to describe habitat use
and preferences, migratory patterns, breeding and calving, and factors
affecting the recovery of the northern right whale.
Comment: NMFS should dedicate more effort to study vessel
interaction and collision avoidance by right whales.
Prohibitions and Activities in Critical Habitat
Comment: Critical habitat must be protected from more than just
activities which may affect copepods. Protection is also needed from
the effects of ship strikes, fishing gear interaction, changes in sea
temperatures and environmental conditions caused by humans.
Comment: Designation of CH should not include amendment of fishery
management measures as there is no evidence of fisheries interaction,
including ship strikes, with right whales in the North Pacific Ocean.
Comment: Oil and gas development is incompatible with the ecology
and economy of Bristol Bay and the Northeast Pacific Region. Major oil
spills, related discharges, seismic activity, and ship strikes are all
oil and gas-related actions which constitute adverse modification of
CH.
Comment: Specific, focused reference to the oil and gas industry as
representing a threat to the proposed right whale CH should be removed
from the proposed rule.
Comment: Designation of CH will open the citizen suit provisions of
the ESA and result in litigation and delays in projects. Economic
activities that are not impacting right whale recovery will be
negatively impacted.
Comment: Designation of CH will lead to regulatory creep and
increase costs through added consultations and mitigation measures
imposed by the Federal Government.
Economic Considerations
Comment: NMFS has correctly characterized both the economic
significance of commercial fishing to the region, State, and Nation,
and the effective absence of the possibility that commercial fishing
can destroy or adversely modify the proposed CH for northern right
whales in the Eastern Bering Sea (EBS) and Gulf of Alaska (GOA).
Comment: While no adverse economic or operational impacts on
commercial fisheries are associated with the proposed designation, a
modification of the southern and western boundaries (reduction) of CH
in the EBS makes sense and would reduce the possibility of any even
hypothetical future impacts on fishing activity.
Comment: In addition to the recommended exclusions of areas in the
south and west of the proposed CH for northern right whales in the EBS
to accommodate commercial fishing, the northern boundary should be
moved south (reduced) from the proposed 58[deg]00' N. to 57[deg]30' N.,
owing to the presence of economically significant commercial fishing
activity (bottom trawling) traditionally conducted there.
Comment: A substantial portion (especially the southern and eastern
sections) of the proposed designation of CH in the EBS coincides with
Outer Continental Shelf (OCS) Leasing Areas projected to have high to
moderate natural gas production potential, and moderate oil production
potential. The economic and development benefits of these areas (in
particular, the Aleutian Basin Area) justify their exclusion under
provisions of the ESA.
Comment: The communities that are located in remote western Alaska,
adjacent to the proposed designation, chronically suffer from
inadequate economic development and opportunity. The entire region
would benefit from economic diversification, such as that which would
accompany oil and gas exploration and development. The proposed
designation of CH in the EBS could increase cost, significantly delay,
or even prevent such economic development, while contributing nothing
to the conservation and recovery of the right whale population.
Comment: Inferences about the risk of fishing gear entanglements
and/or vessel strikes of right whales in the North Pacific, based upon
such experiences in the North Atlantic, are inappropriate and
unsupported by evidence or data. The nature and magnitude of fishing
and other economic activity within the two marine environments are
fundamentally different and not comparable.
Comment: The area of the EBS encompassed by the proposed CH
boundaries contain the vast majority of groundfish, crab, and halibut
resources harvested by commercial fisheries in this region. They have a
combined direct economic gross value of well over $1 billion dollars,
annually, and are vital to fishermen, processors, and fishery-dependent
communities in Alaska. NMFS should explain how, or if, designation of
CH for the right whale would affect fishery management actions that
would be pursued if the incidental take of a right whale would occur in
commercial fisheries.
Comment: The Executive OCS Deferral through 2012 requires that the
North Aleutian Basin be excluded from the Five-Year OCS leasing
program. This remains a sound decision and any analysis of the proposed
designation must recognize that restrictions on petroleum development
in the proposed areas impose no new economic costs to society.
Comment: MMS estimates reserves of 7 trillion cubic feet of natural
gas and 230 million barrels of oil in the North Aleutian Basin.
Approximately 20 percent of the high prospective geologic basin lies
within the southeast corner of the proposed CH area (approximately 8
percent of the proposed designation of CH in the EBS). At risk,
therefore, is about 20 percent of the estimated $19 billion in Federal
revenues, an
[[Page 7001]]
estimated 5,000 construction jobs, and sufficient supplies of natural
gas, necessary to justify construction and operation of an liquified
natural gas (LNG) facility in the area.
Comment: Given the critical status of this species and the
requirements put forth in sections 4 and 9 of the ESA, the need for
protection of right whales and designation of CH outweighs any
potential economic impacts of introducing such protection. It is also
important to consider the economic benefit of the survival of this
species.
Comment: NMFS has created, by its own admission, CH that will not
be adversely modified by oil or gas exploration activity.
Comment: Currently, neither the North Aleutian Basin nor the St.
George Basin Planning areas are available for lease, owing to the 2012
deferral order. Many steps must occur before a field in either of these
areas could reach production and none of these steps are certain to
occur.
Comment: The proposed EBS designation incorporates about one third
of the (oil and gas) high-potential part of North Aleutian Basin and
most of the area of potential in St. George Basin. No exploration
drilling has taken place in the North Aleutian Basin (one non-
exploratory well was drilled in 1983). Economic studies show that the
marginal prices for the North Aleutian Basin are well below current
market prices, illustrating economically producible resources could
exist at much lower than current prices, improving the area's
feasibility as a potential energy source. If this area becomes
available for leasing, if pre-lease oil and gas exploration reveals
commercial quantities of petroleum, if market conditions remain
favorable, if commercial discoveries are of a scale to support LNG
exports, then the direct revenues to federal, state, and local
governments could approach $15 billion over a 30-year life cycle.
Indirect benefits and economic multiplier effects to the Alaska economy
are also likely to be several billions of dollars.
Comment: A basic cost/benefit analysis is submitted for petroleum
activities in the North Aleutian Planning Area to demonstrate the
economic potential and revenues that may be associated with commercial
development. The overall conclusion is economic benefits would accrue
to Federal, state, and local governments, as well as the Alaska
economy, if a leasing program in the North Aleutian planning area
results in commercial development of gas and oil on the scale
envisioned by the MMS modeling scenario.
Other Comments
Comment: NMFS should designate CH as Marine Sanctuaries because
this would protect other marine assets such as corals.
Comment: NMFS should recognize the voluntary conservation efforts
of the fishing industry towards public awareness and avoidance of
vessel strikes.
Comment: The Federal Register notice should include data on the
seasonal occurrence of right whales in the proposed CH areas, present
an analysis of vessel and fishing gear interaction based on
photographic evidence, and discuss the effects of climate change and
variable ice patterns on copepods.
Comment: The Alaska Outer Continental Shelf oil and gas leasing
program has existed for 30 years, during which time the MMS has
demonstrated that industry activities can be carried out in a manner
that does not jeopardize the continued existence of threatened or
endangered species, or adversely affect designated critical habitat.
Comment: There is no evidence that commercial trawling in the North
Pacific or Eastern Bering Sea results in any adverse impacts on the
benthic environment, and certainly none that could adversely impact the
PCEs identified under the proposed designation of CH in these areas.
Special Accommodations
This hearing is physically accessible to people with disabilities.
Requests for sign language interpretation or other auxiliary aids
should be directed to Brad Smith (see FOR FURTHER INFORMATION CONTACT)
at least 10 business days in advance of the hearing.
Dated: February 6, 2006.
James H. Lecky,
Director, Office of Protected Resources, National Marine Fisheries
Service.
[FR Doc. E6-1887 Filed 2-9-06; 8:45 am]
BILLING CODE 3510-22-S