Curecanti National Recreation Area, Personal Watercraft Use, 55111-55119 [06-7846]
Download as PDF
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
Authority: 33 U.S.C. 1233; Department of
Homeland Security Delegation No. 0170.1.
2. Add temporary § 100.35–T05–068
to read as follows:
I
Dated: September 8, 2006.
Larry L. Hereth,
Rear Admiral, U.S. Coast Guard, Commander,
Fifth Coast Guard District.
[FR Doc. 06–7792 Filed 9–20–06; 8:45 am]
National Park Service
prohibited PWC use in all park units
effective April 20, 2000, except 21
preserves, lakeshores, seashores, and
recreation areas. The regulation
established a 2-year grace period
following the final rule publication to
provide these 21 park units time to
consider whether PWC use should be
allowed. On November 7, 2002 PWC use
was discontinued at Curecanti National
Recreation Area.
36 CFR Part 7
Description of Curecanti National
Recreation Area
rmajette on PROD1PC67 with RULES1
§ 100.35–T05–068 John H. Kerr Reservoir,
Clarksville, Virginia.
BILLING CODE 4910–15–P
(a) Regulated area. The regulated area
is established for the waters of the John
H. Kerr Reservoir, adjacent to the State
Route 15 Highway Bridge and
Occoneechee State Park, Clarksville,
Virginia, from shoreline to shoreline,
bounded on the south by a line running
northeasterly from a point along the
shoreline at latitude 36°37′14″ N,
longitude 078°32′46.5″ W, thence to
latitude 36°37′39.2″ N, longitude
078°32′08.8″ W, and bounded on the
north by the State Route 15 Highway
Bridge. All coordinates reference Datum
NAD 1983.
(b) Definitions. (1) Coast Guard Patrol
Commander means a commissioned,
warrant, or petty officer of the Coast
Guard who has been designated by the
Commander, Coast Guard Sector
Hampton Roads.
(2) Official Patrol means any vessel
assigned or approved by Commander,
Coast Guard Sector Hampton Roads
with a commissioned, warrant, or petty
officer on board and displaying a Coast
Guard ensign.
(3) Participant includes all vessels
participating in the Clarksville
Hydroplane Challenge under the
auspices of the Marine Event Permit
issued to the event sponsor and
approved by Commander, Coast Guard
Sector Hampton Roads.
(c) Special local regulations. (1)
Except for event participants and
persons or vessels authorized by the
Coast Guard Patrol Commander, no
person or vessel may enter or remain in
the regulated area.
(2) The operator of any vessel in the
regulated area must:
(i) Stop the vessel immediately when
directed to do so by any Official Patrol
and then proceed only as directed.
(ii) All persons and vessels shall
comply with the instructions of the
Official Patrol.
(iii) When authorized to transit the
regulated area, all vessels shall proceed
at the minimum speed necessary to
maintain a safe course that minimizes
wake near the race course.
(d) Enforcement period. This section
will be enforced from 7:30 a.m. on
October 7 to 6:30 p.m. on October 8,
2006.
DEPARTMENT OF THE INTERIOR
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
55111
RIN 1024–AC99
Curecanti National Recreation Area,
Personal Watercraft Use
National Park Service, Interior.
Final rule.
AGENCY:
ACTION:
SUMMARY: This final rule designates
areas where personal watercraft (PWC)
may be used in Curecanti National
Recreation Area, Colorado. This final
rule implements the provisions of the
National Park Service (NPS) general
regulations authorizing park areas to
allow the use of PWC by promulgating
a special regulation. Individual parks
must determine whether PWC use is
appropriate for a specific park area
based on an evaluation of that area’s
enabling legislation, resources and
values, other visitor uses, and overall
management objectives.
DATES: Effective Date: This rule is
effective September 21, 2006.
ADDRESSES: Mail inquiries to
Superintendent, Curecanti National
Recreation Area, 102 Elk Creek,
Gunnison, CO 81230 or e -mail NPS at
CURE_Superintendent@nps.gov.
FOR FURTHER INFORMATION CONTACT: Jerry
Case, Regulations Program Manager,
National Park Service, 1849 C Street,
NW., Room 7241, Washington, DC
20240. Phone: (202) 208–4206. E-mail:
jerry_case@nps.gov.
SUPPLEMENTARY INFORMATION:
Background
Personal Watercraft Regulation
On March 21, 2000, the National Park
Service published a regulation (36 CFR
3.24) on the management of personal
watercraft (PWC) use within all units of
the national park system (65 FR 15077).
The regulation prohibits PWC use in all
national park units unless the NPS
determines that this type of water-based
recreational activity is appropriate for
the specific park unit based on the
legislation establishing that park, the
park’s resources and values, other
visitor uses of the area, and overall
management objectives. The regulation
PO 00000
Frm 00025
Fmt 4700
Sfmt 4700
Curecanti National Recreation Area
(Curecanti) was established in 1965 to
provide for conservation of scenic,
natural, historic, archeological, and
wildlife values. The goal of the National
Recreation Area is to provide for public
use and enjoyment while ensuring
visitor safety, resource preservation, and
conservation. Curecanti is located along
U.S. Highway 50 (U.S. 50) west of
Gunnison, Colorado.
Three reservoirs, named for
corresponding dams on the Gunnison
River, form the heart of Curecanti. The
three reservoirs are Blue Mesa
Reservoir, Morrow Point Reservoir, and
Crystal Reservoir. Blue Mesa Reservoir
is Colorado’s largest body of water and
is home to the biggest Kokanee Salmon
fishery in the United States. Morrow
Point Reservoir is the beginning of the
Black Canyon of the Gunnison. Crystal
Reservoir is the site of the Gunnison
Diversion Tunnel, a National Historic
Civil Engineering Landmark. In addition
to the three reservoirs, recently
discovered dinosaur fossils, a 5,000 acre
archeological district, a narrow gauge
train, and traces of 6,000 year old
dwellings further enhance the
significance of Curecanti.
Purpose of Curecanti National
Recreation Area
The purpose and significance
statements listed below are from
Curecanti’s Strategic Plan and General
Management Plan. Curecanti National
Recreation Area was established for the
following purposes:
1. Conserve the scenery, natural,
historic, and archeological resources,
and wildlife of Curecanti.
2. Provide for public use and
enjoyment in such a way as to ensure
visitor safety and resource preservation
or conservation by establishing and
maintaining facilities and providing
protection and interpretive services.
3. Manage the lands, waters, and
activities of Curecanti in such a way
that it does not interfere with the
purposes of the Colorado River Storage
Project Act and other Bureau of
E:\FR\FM\21SER1.SGM
21SER1
55112
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
Authority and Jurisdiction
Reclamation agreements affecting the
operation of the Aspinall Unit.
4. Mitigate the loss of fish and
wildlife resources as a result of the
Colorado River Storage Project.
rmajette on PROD1PC67 with RULES1
Significance of Curecanti National
Recreation Area
The following statements summarize
the significance of Curecanti:
1. Blue Mesa Reservoir is one of the
largest high-altitude bodies of water in
the United States. It provides an
exciting diversity of water recreation
opportunities for windsurfers, sail
boaters, and water skiers.
2. The scenic values of the canyon,
the needles, the pinnacles, and the
reservoirs provide dramatic contrast,
which causes visitors to slow down,
pause, and reflect on the diversity of the
landscape and its spaciousness.
3. Curecanti provides one of the best
cold-water fishing opportunities in the
nation. This is due primarily to the
Kokanee salmon run occurring in Blue
Mesa. The Morrow Point and Crystal
Reservoirs’ trout fisheries routinely
attract fishing enthusiasts from
throughout the nation because of the
high-quality trout fishing and
uniqueness of the canyon environment.
4. The prehistoric and historic stories
of human culture in the Curecanti area
are recorded in the traces and tracks left
by Native Americans, miners,
railroaders, and ranchers. The cultural
history of this area documents not only
the human struggles to survive but also
how changing human value systems;
economic, social, and technological
changes; and the importance of water
have shaped the use and character of the
land and its people. Cultural history
contains archeological examples of
some of the oldest villages found in
North America, predating the building
of the pyramids.
5. The narrow-gauge railroad exhibit
in Cimarron graphically portrays the
story of technology’s effects of shaping
people and using land; the agony and
difficulties of building track in narrow
canyons in the winter where the sun
seldom shined; and of taking the hard
way instead of the easy trail. Examples
of a locomotive, tender, and caboose
used on the railroad are on exhibit at
Cimarron.
The park’s mission statement is as
follows: ‘‘Curecanti National
Recreational Area will preserve, protect,
and interpret the tremendous collection
of nationally significant, diverse natural
and cultural resources balanced with
the provision of outstanding
recreational opportunities.’’
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
Under the National Park Service’s
Organic Act of 1916 (Organic Act) (16
U.S.C. 1 et seq.) Congress granted the
NPS broad authority to regulate the use
of the Federal areas known as national
parks. In addition, the Organic Act (16
U.S.C. 3) authorizes the NPS, through
the Secretary of the Interior, to ‘‘make
and publish such rules and regulations
as he may deem necessary or proper for
the use and management of the parks
* * *’’
16 U.S.C. 1a–1 states, ‘‘The
authorization of activities shall be
conducted in light of the high public
value and integrity of the National Park
System and shall not be exercised in
derogation of the values and purposes
for which these various areas have been
established * * *’’
As with the United States Coast
Guard, NPS’s regulatory authority over
waters subject to the jurisdiction of the
United States, including navigable
waters and areas within their ordinary
reach, derives from the U.S.
Constitution. In regard to the NPS,
based upon the Property and Commerce
Clauses, Congress in 1976 directed the
NPS to ‘‘promulgate and enforce
regulations concerning boating and
other activities on or relating to waters
within areas of the National Park
System, including waters subject to the
jurisdiction of the United States * * *’’
(16 U.S.C. 1a–2(h)). In 1996 the NPS
published a final rule (61 FR 35136, July
5, 1996) amending 36 CFR 1.2(a)(3) to
clarify its authority to regulate activities
within the National Park System
boundaries occurring on waters subject
to the jurisdiction of the United States.
PWC Use at Curecanti National
Recreation Area
Curecanti National Recreation Area
includes Blue Mesa Reservoir, which
was created with the completion of the
Blue Mesa Dam. Blue Mesa Reservoir is
comprised of three basins: Sapinero,
Cebolla, and Iola as well as various
arms. The basins are often referred to as
the main body of the reservoir to
distinguish activities there from
activities in the arms.
Approximately 1 million visitors use
Curecanti’s facilities annually. This
figure includes visitors who pursue
water-based recreation activities on the
reservoir and those who engage in other
recreation opportunities. Motorboats
and other watercraft have been used in
Curecanti since 1975. Personal
watercraft have emerged at Curecanti
only since their introduction in the
1980s, and particularly since the
summer of 1995 when personal
PO 00000
Frm 00026
Fmt 4700
Sfmt 4700
watercraft were available for rent from
a park concessioner. Park staff believes
PWC use has increased since 1995, and
a registration survey mailed to vessel
users requesting an annual permit
revealed that in 2000, 0.69% of over 400
respondents were PWC users. The
annual use is estimated to have been
792 PWC in 2002, and is predicted to
increase at approximately 2% annually
to 965 PWC in 2012. Based on ranger
observation, most PWC users are from
Colorado, they limit their PWC use to
approximately 2 hours, and they wear a
wetsuit because of cold-water
temperatures and high afternoon winds.
In addition, PWC use has conflicted
with both bank and boat fishermen from
Dry Creek to Bay of Chickens. Before the
prohibition on PWC use, the General
Management Plan and Superintendent’s
Compendium allowed personal
watercraft and other watercraft to
operate only on the main body of the
Blue Mesa Reservoir and lake arms with
speed and zone restrictions. PWC use
was prohibited in all other areas of the
park through restrictions on horsepower
and restrictions on motorized vessels.
Personal watercraft generally did not
operate at the extreme ends of lake arms
because the arms are narrow in width.
On the main body of the reservoir,
personal watercraft were widely
distributed. In addition to the main
body, high-use areas include the Iola
Basin and Colorado State Highway 149
(Highway 149) areas. Other locations
with limited use include Stevens Creek,
Cebolla Basin, Soap Creek Arm, Bay of
Chickens, and the main marina at Elk
Creek.
This rulemaking is focusing
exclusively on PWC use at the park. The
park also intends to develop a water/
vessel management plan for the use of
other vessels.
NPRM and Environmental Assessment
On March 17, 2006, the National Park
Service published a Notice of Proposed
Rulemaking (NPRM) for the operation of
PWC at Curecanti (71 FR 13792). The
proposed rule for PWC use was based
on alternative A (one of three
alternatives considered) in the
Environmental Assessment (EA)
prepared by NPS for Curecanti. The EA
was open for public review and
comment from June 11, 2003 until July
13, 2003. The EA is available at
https://www.nps.gov/cure/webvc/
pwc_use.htm.
The purpose of the environmental
assessment was to evaluate a range of
alternatives and strategies for the
management of PWC use at Curecanti to
ensure the protection of park resources
and values while offering recreational
E:\FR\FM\21SER1.SGM
21SER1
rmajette on PROD1PC67 with RULES1
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
opportunities as provided for in the
National Recreation Area’s enabling
legislation, purpose, mission, and goals.
The assessment assumed alternatives
would be implemented beginning in
2002 and considered a 10-year period,
from 2002 to 2012. The assessment also
compared each alternative to PWC use
before November 7, 2002, when the
prohibition took effect.
The environmental assessment
evaluated three alternatives addressing
the use of personal watercraft at
Curecanti:
Alternative A—By using a special
regulation, the park would reinstate
PWC use as previously managed prior to
November 7, 2002, and would add one
buffer zone as described below. Under
this alternative, PWC use would occur
in areas of Blue Mesa Reservoir and
portions of the lake arms. Areas
appropriate for PWC use would include
Sapinero, Cebolla, and Iola Basins; Bay
of Chickens; Dry Creek; Elk Creek; the
Highway 149 area; and Lake Fork, Soap
Creek, and West Elk arms. Operation of
all motorized watercraft would continue
to be prohibited in areas east of Beaver
Creek within the Gunnison River
Canyon and in the area downstream
from the East Portal diversion dam. All
designated launch areas on Blue Mesa
Reservoir (developed and unimproved)
would remain open to PWC use.
Personal watercraft would be allowed to
land on any shoreline at Blue Mesa
Reservoir.
The following areas would remain
closed to all boating, including personal
watercraft, and shoreline entry: Blue
Mesa Dam downstream for 225 yards,
Morrow Point Dam downstream for 130
yards, Crystal Dam downstream for 700
yards, and East Portal diversion dam
upstream for 60 yards. In addition, the
following areas would be zoned as flat
wake speed areas: The area upstream
from Lake City Bridge to Beaver Creek;
the area within the arms of Blue Mesa
Reservoir that is less than 1,000 feet
from shore to shore at full pool level.
These areas will be marked by
designated buoys. These arms include
Soap Creek Arm, West Elk Arm, Lake
Fork Arm, and Cebolla Arm; narrow
waterways off the Bay of Chickens and
Dry Creek; Elk Creek and Lake Fork
Marinas; and Iola and Stevens Creek
boat launch areas.
In addition to the areas outlined
above, a 100-foot buffer zone from the
shoreline would be established at the
Stevens Creek campground, as marked
by buoys. The buffer area would be
zoned as a flat wake speed area. A buffer
zone will provide for the protection of
an active Gunnison sage grouse lek and
nesting area, and would mitigate
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
potential noise impacts from PWC use
and associated shoreline use during the
lek and nesting season (mid-March–
July).
Alternative B—Same as alternative A,
with the following additional
restrictions. This alternative would
establish a 100-foot buffer zone along
the south shore of Blue Mesa Reservoir
from 0.5 mile west of Iola to 0.5 mile
east of Middle Bridge for soundscape,
cultural resource, and wildlife
protection as well as to prevent erosion.
Alternative B includes further speed
restrictions. Under this alternative, the
additional speed restrictions would
apply to PWC use in each of the lake
arms on Blue Mesa Reservoir from the
mouth of each lake arm upriver to the
flat wake areas. In these restricted areas
PWC use would need to operate at flat
wake speeds when within 150 feet of
another boat, a person in or floating on
the water, shore fisherman, a launching
ramp, a dock, or a designated swimming
area.
No-Action Alternative—The park
would continue the PWC prohibition.
PWC use would not be reinstated and
the National Park Service would not
take action to draft a special regulation
to reinstate PWC use.
Alternative A is the park’s preferred
alternative because it best fulfills the
park responsibilities as trustee of the
sensitive habitat; ensures safe, healthful,
productive, and aesthetically and
culturally pleasing surroundings; and
attains a wider range of beneficial uses
of the environment without degradation,
risk of health or safety, or other
undesirable and unintended
consequences.
This final rule contains regulations to
implement alternative A at Curecanti.
Summary of Comments
A proposed rule on PWC use in the
Curecanti National Recreation Area was
published in the Federal Register for
public comment on March 17, 2006,
with the comment period lasting until
May 16, 2006 (71 FR 13792). The
National Park Service (NPS) received
2,325 timely written comments
regarding the EA and proposed
regulation. Of the comments, 1,935 were
form letters in 10 different formats, 345
were on a petition, and 45 were separate
letters. Of the 45 separate letters, 37
were from individuals, 7 from
organizations, and 1 from a public
agency. Within the following
discussion, the term ‘‘commenter’’ refers
to an individual, organization, or public
agency that responded. The term
‘‘comments’’ refers to statements made
by a commenter.
PO 00000
Frm 00027
Fmt 4700
Sfmt 4700
55113
General Comments
1. Several commenters, including
Bluewater Network and the American
Canoe Association, stated that the EA
failed to use the best data available and
picked alternative A without adequate
scientific justification.
NPS Response: The EA analyzed
every applicable impact topic with the
best available data, as required by
Council on Environmental Quality
regulations (40 CFR 1502.22). Where
data was lacking, best professional
judgment prevailed using assumptions
and extrapolations from scientific
literature, other park units where
personal watercraft are used, and
personal observations of park staff.
2. Several commenters stated that
allowing PWC use with additional
restrictions violates the park’s enabling
legislation and NPS mandate to protect
resources from harm.
NPS Response: The NPS analysis of
PWC use specifically considered the
requirements of Curecanti National
Recreation Area’s enabling legislation.
The authorizing legislation for Curecanti
was carefully considered when
developing alternatives for the EA. The
objective of the EA, as described in the
‘‘Purpose and Need’’ Chapter of the EA,
was derived from the enabling
legislation for Curecanti. As a result, the
alternatives presented in the EA were
developed to protect resources and
values while providing recreational
opportunities at Curecanti. As required
by NPS policies, the impacts associated
with PWC and other recreational uses
are evaluated under each alternative to
determine the potential for impairment
to park resources. NPS has concluded
that alternative A would not result in
impairment of park resources and
values for which the Curecanti was
established. The recreation area’s
enabling legislation also states that the
‘‘Secretary shall administer Curecanti
National Recreation Area for general
purposes of public outdoor recreation.’’
The goal of the national recreation area
is to provide each visitor with an
educational, enjoyable, safe and
memorable experience.
3. One commenter suggested
clarifying the language in the proposed
rule about landing restrictions near the
dam.
NPS Response: We agree and text has
been added to the rule to address the
buoyed barricaded sections in the
vicinity of the dams, where boats are not
allowed.
4. One commenter stated the analysis
did not adequately consult with and
seek the expertise of various agencies,
E:\FR\FM\21SER1.SGM
21SER1
rmajette on PROD1PC67 with RULES1
55114
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
which appears to violate the NPS PWC
regulations.
NPS Response: The final PWC
regulation published by the NPS in
March 2000 indicates that we intend to
seek the expertise of the U.S.
Environmental Protection Agency
(EPA), Occupational Safety and Health
Administration (OSHA) and other
relevant agencies and literature when
deciding whether to allow continued
PWC use in units of the National Park
System. The EA references EPA and
OSHA regulations and studies
throughout the document.
5. Several commenters stated that the
decision violates the Organic Act and
will result in the impairment of
resources.
NPS Response: The ‘‘Summary of
Laws and Policies’’ section in the
‘‘Environmental Consequences’’ chapter
of the EA summarizes the three
overarching laws that guide the NPS in
making decisions concerning protection
of park resources. These laws, as well as
others, are also reflected in the NPS
Management Policies. An explanation of
how the NPS applied these laws and
policies to analyze the effects of
personal watercraft on Curecanti
resources and values can be found
under ‘‘Impairment Analysis’’ in the
‘‘Methodology’’ section of the EA.
Under the EA’s methodology, an
impairment to a particular park resource
or park value is indicated when the
impact reaches the magnitude of
‘‘major,’’ as defined by its context,
duration, and intensity and must also
affect the ability of the National Park
Service to meet its mandates as
established by Congress in the park’s
enabling legislation. For each impact
topic, the EA establishes thresholds or
indicators of magnitude of impact. For
each impact topic, when the intensity
approached ‘‘major,’’ the park would
consider mitigation measures to reduce
the potential for ‘‘major’’ impacts, thus
reducing the potential for impairment.
The NPS has determined that the
preferred alternative would not result in
impairment of park resources or values.
6. One commenter is concerned about
PWC use conflicting with swimmers
and anglers at Curecanti.
NPS Response: Additional
management restrictions have been put
into effect in the regulation to prevent
conflicts with swimmers, shore anglers
and watercraft. The popular day use
areas, such as Dry Creek and Bay of
Chickens, have flat wake buoys in place
to keep vessels at flat wake speeds in
congested areas until they are out into
open water. The preferred alternative
would keep this restriction in place.
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
7. One commenter is concerned that
the assumption of PWC growth at
Curecanti may be underanalyzed, and
instead of using a 2 percent growth rate
in the analysis, a 5 percent growth rate
would more accurately reflect the
conditions in Colorado.
NPS Response: The estimated annual
increase in PWC use of 2% appears
justified in light of several lines of
evidence. While the overall increase in
PWC use from 1994 to 2002 is over
300%, the majority of that increase
occurred through 1997. Since then, the
increases decreased every year to the
point where there was a net decrease of
1% between 2001 and 2002. This
decrease in PWC use in Colorado
parallels the decrease in nationwide
PWC use and the decrease in visitors to
the park between 1999 and 2001. The
projected annual growth in population
in the region and the state is 1.7 to
2.0%. For this combination of reasons,
the projected increase in PWC use at the
park is reasonable.
Comments Regarding Water Quality
8. Several commenters stated that
research indicated that direct-injection
2-stroke engines are dirtier than 4-stroke
engines.
NPS Response: Total hydrocarbons
(THC) emissions factors for 2-stroke
carbureted PWC engines are
approximately 13 times greater than for
4-stroke PWC engines. This is a major
factor in the EPA rule requiring the
phase out of carbureted 2-stroke
engines. However, the two-stroke direct
injection engines are almost as clean
burning as the four-stroke.
9. One commenter stated that the
analysis disregarded or overlooked
relevant research regarding impacts to
water quality from PWC use as well as
the impact to downstream resources and
long-term site specific water quality
data on PWC pollutants.
NPS Response: The EA states that in
2002 impacts to water quality from PWC
on a high-use day would be negligible
for all chemicals evaluated based on
ecological and human health
benchmarks and for benzo(a)pyrene
based on human health benchmarks.
10. One commenter stated that the
assumption that there is enough water
in the lake to dilute PWC pollutants to
levels that do not violate state and
Federal standards is incorrect, and that
the concentration of PWC operation in
certain areas of the lake means that
there is less water available for mixing.
NPS Response: As described on pages
51 and 52 of the EA, the effective
mixing zone volume of 52,433 acre-feet
(which is compared to the threshold
volumes) is based on the difference
PO 00000
Frm 00028
Fmt 4700
Sfmt 4700
between the volume at minimum pool
(192,270 acre-feet) and the volume at
the thermocline (139,837 acre-feet). This
is a conservative estimate of the mixing
zone for the reservoir because the lowest
recorded elevation of the reservoir is
7,428 feet while the minimum pool
elevation is 7,393 feet, a difference of 35
feet. At the time of preparation of the
EA (January 2003), the elevation was
7,445 feet, 52 feet above minimum pool.
While PWC use may be concentrated in,
but not restricted to, areas between Elk
Creek and the Lake City Bridge and in
the Soap Creek Arm, water in these
areas will mix with waters outside of
the areas. The maximum calculated
threshold volume needed to dilute
emissions from personal watercraft
under any alternative is 4,534 acre-feet
for benzene in 2002 (see Table 18 of
EA). Impacts to water quality are termed
negligible in view of the fact that the
threshold volume is less than the
available mixing zone volume and that
the half-life of benzene is less than 5
hours. This assessment of adverse
impacts due to PWC use on a peak-use
day (16 personal watercraft) is
conservative even if PWC use is
concentrated in a few areas of the
reservoir.
11. One commenter stated that the
analysis represents an outdated look at
potential emissions from an overstated
PWC population of conventional 2stroke engines, and underestimated the
accelerating changeover to 4-stroke and
new 2-stroke engines. The EA also states
that benzo(a)pyrene concentrations in
gasoline range from 0.19 to 2.8 mg/kg,
but the EA chooses the highest figure for
the analysis. The net effect is that the
analysis overestimates potential PWC
hydrocarbon emissions, including
benzene and polycystic aromatic
hydrocarbons (PAHs), to the water in
Blue Mesa Reservoir.
NPS Response: Assumptions
regarding PWC use (16 per day in 2002
and 20 per day in 2012) were based on
actual count data from the month of July
2002 and on park staff observations.
Because of holiday timing in 2001 and
poor weather, the observation of 9
personal watercraft on a peak-use day
was thought to be more typical of a nonpeak use summer day, not a peak-use
day. Therefore, peak-use PWC numbers
in 2002 were estimated to be 16 vessels.
PWC use at other times of the year
ranged from 0 to 4 PWC per day. Data
for the years 2001 and 2002 were the
only data available for Curecanti (page
75 of EA). Because data from other years
were not available, trends in PWC use
at Curecanti could not be determined for
use in the EA. The July 2002 estimate
can be considered a ‘‘worst case’’
E:\FR\FM\21SER1.SGM
21SER1
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
rmajette on PROD1PC67 with RULES1
estimate, but it is not ‘‘unrealistic’’ since
it is based on actual Curecanti data and
park staff observations. Despite these
conservative estimates, impacts to water
quality from personal watercraft are
judged to be negligible for all
alternatives evaluated. If the
assumptions used were less than
conservative, the conclusions could not
be considered protective of the
environment, while still being within
the range of expected use.
12. One commenter stated that even
minor oil spills can cause increased
levels of volatile organic compounds
(VOCs) and PAHs in the water, which
will cause damage to aquatic wildlife.
NPS Response: Impacts to wildlife
from PWC under alternative A range
from negligible to minor adverse.
Impacts to water quality from the
discharge of fuel constituents under
alternative A range from negligible to
minor adverse.
13. One commenter stated that levels
of methyl tertiary-butyl ether (MTBE)
levels must be tested and disclosed to
the public, yet the EA does not disclose
the levels of toxins (BTEX, PAHs and
MTBE) from samples taken in the
summer of 2000.
NPS Response: MTBE was not
included in the analysis of impacts to
water quality because MTBE is banned
in Colorado and is unlikely to be
brought into the park in large quantities.
Although potential concentrations of
gasoline-related constituents in the
water were not included in the
proposed rule, they were used in the
calculations of water volumes needed to
dilute constituents to levels below the
ecotoxicological and human health
benchmarks in the Environmental
Consequences section of the EA.
Colorado is not the only state to ban
MTBE. According to data provided by
the Energy Information Administration
(EIA) (https://www.eia.doe.gov/oiaf/
servicerpt/mtbeban/table1.htm), which
was last updated March 27, 2003, 17
states have banned or restricted the
concentration of MTBE in gasoline.
Comments Regarding Air Quality
14. One commenter stated that the
analysis failed to mention the impact of
PWC permeation losses on local air
quality.
NPS Response: Permeation losses of
volatile organic compounds (VOCs)
from personal watercraft were not
included in the calculation of air quality
impacts primarily because these losses
are insignificant relative to emissions
from other operating watercraft. Also,
permeation losses were not included
because of numerous related unknown
contributing factors such as the number
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
of personal watercraft refueling at the
reservoir and the location of refueling
(inside or outside of the airshed). Using
the permeation loss numbers in the
comment (estimated to be half the total
of 7 grams of losses per 24 hours from
the fuel system), the permeation losses
per hour from fuel systems are orders of
magnitude less than emissions from
operating personal watercraft.
Therefore, we believe the inclusion of
permeation losses would not have a
significant effect on the results of the air
quality impact analyses.
15. One commenter expressed
concern that PWC emissions were
declining faster than forecasted by the
EPA. As the Sierra Report documents, in
2002, hydrocarbons (HC) + nitrogen
oxides (NOX) emissions from the
existing fleet of PWC were already 23%
lower than they were before the EPA
regulations became effective, and will
achieve reductions greater than 80% by
2012.
NPS Response: The EPA data
incorporated into the 1996 Spark
Ignition Marine Engine rule were used
as the basis for the assessment of air
quality, and not the Sierra Research
data. It is agreed that these data show a
greater rate of emissions reductions than
the assumptions in the 1996 Rule and in
the EPA NONROAD Model, which was
used to estimate emissions. However,
the level of detail included in the Sierra
Research report has not been carried
into the EA for reasons of consistency
and conformance with the model
predictions. Most states use the EPA
NONROAD Model for estimating
emissions from a broad array of mobile
sources. To provide consistency with
state programs and with the methods of
analysis used for other similar NPS
assessments, the NPS has elected not to
base its analysis on focused research
such as the Sierra Report for assessing
PWC impacts.
It is agreed that the relative quantity
of HC + NOX are a very small proportion
of the county based emissions and that
this proportion will continue to be
reduced over time. The EA takes this
into consideration in the analysis.
For consistency and conformity in
approach, the NPS has elected to rely on
the assumptions in the 1996 Spark
Ignition Engine Rule which are
consistent with the widely used
NONROAD emissions estimation model.
The outcome is that estimated emissions
from combusted fuel may be in the
conservative range, if compared to
actual emissions.
Comments Regarding Soundscapes
16. One commenter stated that
continued PWC use at Curecanti will
PO 00000
Frm 00029
Fmt 4700
Sfmt 4700
55115
not result in sound emissions that
exceed the applicable Federal or State
noise abatement standards, and
technological innovations by the PWC
companies will continue to result in
substantial sound reductions.
NPS Response: The NPS concurs that
on-going and future improvements in
engine technology and design would
likely further reduce the noise emitted
from PWC. However, given the ambient
noise levels in the recreation area, it is
unlikely that the improved technology
could reduce all cumulative impacts of
motorized vessels beyond minor to
moderate through out the recreation
area.
17. One commenter stated that the
NPS places too much hope in new
technologies significantly reducing PWC
noise since there is little possibility that
the existing fleet of more than 1.1
million machines (most of which are
powered by conventional two-stroke
engines) will be retooled to reduce
noise. Furthermore, many PWC owners
modify the exhaust system to increase
horsepower and thrust, which can
render useless the attempts by
manufacturers to reduce engine noise
levels.
NPS Response: The analysis of the
preferred alternative states that noise
from PWC would continue to have
minor to moderate, temporary adverse
impacts, and that impact levels would
be related to number of PWC and
sensitivity of other visitors. This
recognizes that noise will occur and will
bother some visitors, but site-specific
modeling was not needed to make this
assessment. The availability of noise
reduction technologies is also growing,
and we are not aware of any scientific
studies that show these technologies do
not reduce engine noise levels. Also, the
analysis did not rely heavily on any
noise reduction technology. It
recognizes that the noise from the
operation of PWC will always vary,
depending on the speed, manner of use,
and wave action present.
Although PWC use does occur
throughout the lake, it is concentrated
more in certain areas, and this is noted
in the soundscapes impact analysis that
follows the introductory statements and
assumptions listed on page 104 of the
EA. The analysis did not assume even
distribution of PWC and predicted
moderate impacts from concentrated
PWC use in one area.
Comments Regarding Wildlife and
Threatened and Endangered Species
18. One commenter stated that the
analysis lacked site-specific data for
impacts to wildlife, fish, and threatened
and endangered species at Curecanti.
E:\FR\FM\21SER1.SGM
21SER1
rmajette on PROD1PC67 with RULES1
55116
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
NPS Response: The park did not
conduct site-specific studies regarding
potential effects of PWC use on wildlife
species at Curecanti. Analysis of
potential impacts of PWC use on
wildlife at the national recreation area
was based on best available data, input
from park staff, and the results of
analysis using that data.
19. One commenter stated that PWC
use and human activities associated
with their use may not be any more
disturbing to wildlife species than any
other type of motorized or nonmotorized watercraft. The commenter
cites research by Dr. Rodgers, of the
Florida Fish and Wildlife Conservation
Commission, whose studies have shown
that PWC are no more likely to disturb
wildlife than any other form of human
interaction. PWC posed less of a
disturbance than other vessel types. Dr.
Rodgers’ research clearly shows that
there is no reason to differentiate PWC
from motorized boating based on claims
on wildlife disturbance.
NPS Response: Based on the
documents provided as part of this
comment, it appears that PWC are no
more apt to disturb wildlife than are
small outboard motorboats; however,
disturbance from both PWC and
outboard motorboats does occur. In
addition to this conclusion, Dr. Rogers
recommends that buffer zones be
established, creating minimum
distances between boats (personal
watercraft and outboard motorboats)
and nesting and foraging waterbirds.
Under the final rule, there will be a 100foot buffer around Steven’s Creek
campground for Gunnison sage grouse
protection. This buffer area will be
zoned as flat wake speed for all
motorized watercraft. The arms of the
lake would remain flat wake speed areas
to minimize disturbances to wildlife
and visitors. Impacts to wildlife and
wildlife habitat under all the
alternatives were judged to be minor to
moderate from all visitor activities.
20. One commenter is concerned that
the EA does not consider a large enough
area inland in its analysis for PWC noise
and its impact upon wildlife. The EA
states that PWC may disturb wildlife
along the shore, extending inland
approximately 100 feet, while the
distance used for analyzing impacts
upon humans is 3⁄4 of a mile.
NPS Response: The evaluation area
used in the EA for noise impacts to
wildlife is 200 feet, not 100 feet from the
shoreline. Even within this relative
short distance from personal watercraft,
noise impacts to wildlife are expected to
be short-term and either minor or
negligible. Noise levels from PWC use
would be decreased further at greater
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
distances. However, additional
potentially affected wildlife may be
present within 3/4 mile of the shoreline.
Therefore impact levels may increase
slightly from those described for the
various alternatives and wildlife
categories. In the errata to the EA,
impacts described as negligible were
changed to minor, impacts described as
minor were changed to moderate, and
ranges of impacts from negligible to
minor were changed to minor to
moderate.
21. Several commenters are concerned
about PWC impacting the Gunnison
sage grouse and its habitat and lek
located near Stevens Creek campground.
NPS Response: Under the final rule, a
100-foot buffer area, as marked by
buoys, will be implemented around
Steven’s Creek campground for
protection of the Gunnison sage grouse
lek. This buffer area will be zoned as flat
wake speed for all motorized vessels.
22. One comment stated that the
additional buffer zones proposed for
Gunnison sage grouse protection are not
necessary because the NPS already has
procedures in place that protect the
grouse lek located near Stevens Creek
campground.
NPS Response: The flat wake zone
near Stevens Creek campground will
apply to all motorized boats, and would
afford additional protection to the
Gunnison sage grouse during the lek
season, which extends from March
through mid-May, when PWC and other
boats may be in use on the reservoir.
Comments Regarding Vegetation
23. One commenter stated that there
has been no documentation of any
adverse effects to shoreline vegetation
from PWC use.
NPS Response: The NPS agrees. There
are no sensitive shoreline species and
vegetation along the Blue Mesa
Reservoir shoreline is generally lacking.
The shoreline buffer established near
Stevens Creek campground and in the
arms of the lake will provide some
additional protection from erosion
caused from wave action created by
PWC. Shoreline vegetation is more
likely to be impacted from wave action
when the reservoir is at full pool.
Comments Regarding Visitor Safety
24. One commenter stated that the
conclusion that PWC use poses a health
and safety risk ‘‘primarily to the
operators’’ themselves is mistaken and
the analysis does not adequately assess
the safety threat posed to park visitors
by PWC use.
NPS Response: Incidents involving
watercraft of all types, including PWC,
are reported to and logged by NPS staff.
PO 00000
Frm 00030
Fmt 4700
Sfmt 4700
A very small proportion of incidents in
the recreation area are estimated to go
unreported. In the ‘‘Visitor Conflicts and
Visitor Safety’’ section of the ‘‘Affected
Environment’’ chapter of the EA, it is
reported by the National Transportation
Safety Board that in 1996 personal
watercraft represented 7.5% of stateregistered recreational boats but
accounted for 36% of recreational
boating accidents. In the same year,
PWC operators accounted for more than
41% of people injured in boating
accidents. PWC operators accounted for
approximately 85% of the persons
injured in accidents studied in 1997.
25. One commenter stated that the
accident data used in the analysis was
outdated and incorrect because PWC
accidents are reported more often than
other boating accidents.
NPS Response: The mediating factors
described in the comment are
recognized. However, these factors are
unlikely to fully explain the large
difference in percentages (PWC are only
7.5% of registered vessels, yet they are
involved in 36% of reported accidents).
In other words, PWC are 5 times more
likely to have a reportable accident than
are other boats. Despite these national
boating accident statistics, impacts of
PWC use and visitor conflicts are judged
to be negligible relative to swimmers
and minor impact relative to other
motorboats at the national recreation
area.
26. Several commenters stated that
the NPS analysis downplayed the threat
PWC pose to the visiting public,
specifically regarding PWC fire hazards.
NPS Response: According to the
National Marine Manufacturers
Association (NMMA), PWC
manufacturers have sold roughly 1.2
million watercraft during the last ten
years. Out of 1.2 million PWC sold, the
U.S. Coast Guard had only 90 reports of
fires/explosions in the years from 1995–
1999. This is less than 1% of PWC boats
having reports of problems associated
with fires/explosions. As far as the
recall campaigns conducted by
Kawasaki and Bombardier, the problems
that were associated with fuel tanks
were fixed. Kawasaki conducted a recall
for potentially defective fuel filler necks
and fuel tank outlet gaskets on 23,579
models from the years 1989 and 1990.
The fuel tank problems were eliminated
in Kawasaki’s newer models, and the
1989 and 1990 models are most likely
not in use anymore, since life
expectancy of a PWC is only five to
seven years, according to the PWC
Industry Association (PWIA).
Bombardier also did a recall for its 1993,
1994, and 1995 models to reassess
possible fuel tank design flaws.
E:\FR\FM\21SER1.SGM
21SER1
rmajette on PROD1PC67 with RULES1
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
However, the number of fuel tanks that
had to be recalled was a very small
percent of the 1993, 1994, and 1995
fleets, because fuel tank sales only
amounted to 2.16% of the total fleet
during this period (Bombardier Inc.).
The replacement fuel tanks differed
from those installed in the watercraft
subject to the recall in that the
replacement tanks had revised filler
neck radius, and the installation
procedure now also requires revised
torque specifications and the fuel
system must successfully complete a
pressure leak test. Bombardier found
that the major factor contributing to
PWC fires/explosions was over-torquing
of the gear clamp. Bombardier was
legally required by the U.S. Coast Guard
to fix 9.72% of the recalled models. Out
of 125,349 recalls, the company repaired
48,370 units, which was approximately
38% of the total recall, far exceeding
their legal obligation to repair units with
potential problems.
Further, fuel tank and engine
problems that could be associated with
PWC fires have been reduced
significantly since the NMMA set
requirements for meeting manufacturing
regulations established by the U.S. Coast
Guard. Many companies even choose to
participate in the more stringent
Certification Program administered by
the NMMA. The NMMA verifies
annually, or whenever a new product is
put on the market, boat model lines to
determine that they satisfy not only the
U.S. Coast Guard regulations but also
the more rigorous standards based on
those established by the American Boat
and Yacht Council.
27. One commenter stated that
demographic and usage information
demonstrates that today’s PWC owner
typically uses PWC for family-oriented
outings, and that they are not reckless
‘‘stunt’’ operators.
NPS Response: NPS agrees that some
PWC operators are more mature and are
not reckless with their machines, and
that many trips are family-oriented.
However, PWC use does vary, and many
operators still use the machines for
‘‘thrill,’’ including stunts, wake
jumping, and other more risky exercises.
Some users can still create disturbances
or safety concerns, especially if children
are operating the vessel. As part of the
implementation of the final rule, NPS
will provide additional enforcement and
education to minimize the possibility of
any serious injuries.
28. One commenter stated that even
though the industry has attempted to
promote three-person PWC as family
machines, they are advertised and
marketed as thrillcraft that tout the
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
machine’s speed and power in
advertisements.
NPS Response: NPS agrees. However,
some PWC operators are better educated
and are not reckless with their
machines, and many trips are familyoriented. PWC use does vary, and many
operators still use the machines for
‘‘thrill,’’ including stunts, wake
jumping, and other more risky exercises.
29. One commenter stated that several
agencies, including the U.S. Coast
Guard and the National Association of
State Boating Law Administrators,
recommend uniform application of flat
wake zones to all motorized vessels.
NPS Response: The flat wake
restrictions apply to all vessels, not just
PWC. All vessels are required to observe
the flat wake regulatory buoys as
required by 36 CFR 3.6(c).
30. Several commenters were
concerned about the NPS’ reliance on
PWC ‘‘self-policing’’ regarding speed
and flat wake zones, and that both
alternative A and B will require
additional staff to monitor and enforce
the restrictions.
NPS Response: The EA does state that
generally there is at least one law
enforcement ranger on the reservoir
daily during daylight hours. There are
also employees from other divisions
who make boating contacts and/or
report violations they observe while
performing their tasks on the reservoir.
Park staff noted that visitors frequently
report violators of boating regulations,
especially in the marinas.
Furthermore, enforcement would also
be required under the no-action
alternative. The park is fully aware that
this new regulation will require shortterm changes and reallocation of assets
and resources, with an increase in
enforcement. However, this effort will
generally occur at popular boating use
areas that are already the focus of
enforcement activity. Enforcement of
the November 6, 2002, prohibition of
PWC required an increased focus on
education and PWC enforcement during
routine patrols at a limited number of
popular use areas. This education and
enforcement effort became successful in
about two boating seasons. Additional
educational efforts and a presence on
the water by park rangers are proven
methods of protecting resources for the
future enjoyment of all visitors, with the
end result of enhancing the visitor
experience.
Comments Regarding Cultural
Resources
31. One commenter stated that the
analysis refers to a potential concern
that the ability of PWC operators to
access remote areas of the park unit
PO 00000
Frm 00031
Fmt 4700
Sfmt 4700
55117
might make certain cultural,
archeological and ethnographic sites
vulnerable to looting or vandalism.
NPS Response: The EA was focused
on the analysis of impacts from PWC
use. The use of a PWC can make it
easier to reach some remote upstream
areas, compared to hiking to these areas
and we agree that the type of impacts to
cultural resources from any users of
remote areas of the park would be
similar if they can reach these areas.
However, there is no indication of any
instances where these problems have
occurred from PWC users. Nor is there
any reason to believe that PWC users are
any more likely to pose these concerns
than canoeists, kayakers, hikers, or
others who might access these same
areas.
Comments Regarding Socioeconomics
32. Several commenters stated that
the proposed rule fails to mention the
economic impacts on the PWC-related
businesses in the area. One of the
comments also mentions a recently
published economic study that
discusses the economic impact of
prohibiting PWC at national parks
nationwide.
NPS Response: NPS reviewed the
Trade Partnership study quoted in the
comment, which concludes that PWC
sales grew steadily through 1995, and
have declined dramatically since then.
The study blames this decline in sales
on the PWC prohibition at National
Parks. While the PWC prohibition at
some National Park units may have
contributed slightly to decline in PWC
sales, NPS disagrees with the study’s
conclusion that the prohibition is the
primary reason for the decline in sales.
Initially PWC use occurred in only 32 of
the 87 park units that allow motorized
boating. These 32 park units comprise a
very small percentage of the total
waterways in the United States that can
accommodate PWC. A decline in PWC
sales can be attributed to many other
reasons, including economic reasons,
perceptions about the machines, and
limitations by other public entities. In
fact, at least 34 states have either
implemented or considered regulating
PWC use and operation, and various
Federal agencies have managed PWC
use differently than other classes of
motorized watercraft.
The economic analysis report quoted
in the comment (Economic Analysis of
Management Alternatives for Personal
Watercraft in Curecanti National
Recreation Area, MACTEC Engineering
2003) concludes that the rule is not
expected to reduce any of the local
area’s PWC-related businesses’ profit
margins or reduce the competitiveness
E:\FR\FM\21SER1.SGM
21SER1
55118
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
of PWC rental and retail businesses. The
report also concludes that increases in
revenue are projected under the rule,
relative to the no-action alternative, for
firms selling and renting PWC to
Curecanti visitors.
The purpose of the economic analysis
was not to look at national economic
trends of the service-wide rule, but to
consider local and regional economic
impacts of the Curecanti proposed rule.
Changes to the Final Rule
The final rule is the same as proposed
in the NPRM, except that language has
been added to paragraph (d)(1) of § 7.51
to address the buoyed barricaded
sections in the vicinity of the Blue Mesa
Dam, where boats are not allowed. This
change was made in response to
comments, as discussed in section 3 of
the Summary of Comments, above.
Compliance With Other Laws
rmajette on PROD1PC67 with RULES1
Regulatory Planning and Review
(Executive Order 12866)
This document is not a significant
rule and has not been reviewed by the
Office of Management and Budget under
Executive Order 12866.
(1) This rule will not have an effect of
$100 million or more on the economy.
It will not adversely affect in a material
way the economy, productivity,
competition, jobs, the environment,
public health or safety, or State, local,
or tribal governments or communities.
The National Park Service has
completed the report ‘‘Economic
Analysis of Management Alternatives
for Personal Watercraft in Curecanti
National Recreation Area’’ (MACTEC
Engineering, July 2003). This document
may be viewed on the park’s Web site
at: https://www.nps.gov/cure/webvc/
pwc_use.htm.
(2) This rule will not create a serious
inconsistency or otherwise interfere
with an action taken or planned by
another agency. Actions taken under
this rule will not interfere with other
agencies or local government plans,
policies or controls. This rule is an
agency specific rule.
(3) This rule does not alter the
budgetary effects of entitlements, grants,
user fees, or loan programs or the rights
or obligations of their recipients. This
rule will have no effects on
entitlements, grants, user fees, or loan
programs or the rights or obligations of
their recipients. No grants or other
forms of monetary supplements are
involved.
(4) This rule does not raise novel legal
or policy issues. This rule is one of the
special regulations being issued for
managing PWC use in National Park
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
Units. The National Park Service
published general regulations (36 CFR
3.24) in March 2000, requiring
individual park areas to adopt special
regulations to authorize PWC use. The
implementation of the requirement of
the general regulation continues to
generate interest and discussion from
the public concerning the overall effect
of authorizing PWC use and National
Park Service policy and park
management.
Regulatory Flexibility Act
The Department of the Interior
certifies that this rulemaking will not
have a significant economic effect on a
substantial number of small entities
under the Regulatory Flexibility Act (5
U.S.C. 601 et seq.). This certification is
based on a report entitled ‘‘Economic
Analysis of Management Alternatives
for Personal Watercraft in Curecanti
National Recreation Area’’ (MACTEC
Engineering, July 2003). This document
may be viewed on the park’s Web site
at: https://www.nps.gov/cure/webvc/
pwc_use.htm.
Small Business Regulatory Enforcement
Fairness Act (SBREFA)
This rule is not a major rule under 5
U.S.C. 804(2), the Small Business
Regulatory Enforcement Fairness Act.
This final rule:
a. Does not have an annual effect on
the economy of $100 million or more.
b. Will not cause a major increase in
costs or prices for consumers,
individual industries, Federal, State, or
local government agencies, or
geographic regions.
c. Does not have significant adverse
effects on competition, employment,
investment, productivity, innovation, or
the ability of U.S.-based enterprises to
compete with foreign-based enterprises.
Unfunded Mandates Reform Act
This rule does not impose an
unfunded mandate on State, local, or
tribal governments or the private sector
of more than $100 million per year. The
rule does not have a significant or
unique effect on State, local or tribal
governments or the private sector. This
rule is an agency specific rule and does
not impose any other requirements on
other agencies, governments, or the
private sector.
Takings (Executive Order 12630)
In accordance with Executive Order
12630, the rule does not have significant
takings implications. A taking
implication assessment is not required.
No taking of personal property will
occur as a result of this rule.
PO 00000
Frm 00032
Fmt 4700
Sfmt 4700
Federalism (Executive Order 13132)
In accordance with Executive Order
13132, the rule does not have sufficient
federalism implications to warrant the
preparation of a Federalism Assessment.
This final rule only affects use of NPS
administered lands and waters. It has no
outside effects on other areas by
allowing PWC use in specific areas of
the park.
Civil Justice Reform (Executive Order
12988)
In accordance with Executive Order
12988, the Office of the Solicitor has
determined that this rule does not
unduly burden the judicial system and
meets the requirements of sections 3(a)
and 3(b)(2) of the Order.
Paperwork Reduction Act
This regulation does not require an
information collection from 10 or more
parties and a submission under the
Paperwork Reduction Act is not
requried. An OMB Form 83–I is not
required.
National Environmental Policy Act.
As a companion document to the
NPRM, NPS issued the Personal
Watercraft Use Environmental
Assessment for Curecanti National
Recreation Area. The Environmental
Assessment (EA) was open for public
review and comment from June 11, 2003
until July 13, 2003. A Finding of No
Significant Impact (FONSI) was
approved on June 16, 2006. These
documents are available at https://
www.nps.gov/cure/webvc/pwc_use.htm,
or copies can be obtained directly from
the park.
Government-to-Government
Relationship With Tribes
In accordance with the President’s
memorandum of April 29, 1994,
‘‘Government to Government Relations
with Native American Tribal
Governments’’ (59 FR 22951) and 512
DM 2, we have evaluated potential
effects on Federally recognized Indian
tribes and have determined that there
are no potential effects.
Administrative Procedure Act
This rule allows use of PWC in
Curecanti National Recreation Area
under specified conditions. Because
current regulations do not allow use of
PWC at all, this rule relieves a
restriction on the public. For this
reason, and because NPS wishes to
allow the public to take advantage of the
new rules as soon as possible, this final
rule is effective upon publication in the
Federal Register, as allowed by the
E:\FR\FM\21SER1.SGM
21SER1
Federal Register / Vol. 71, No. 183 / Thursday, September 21, 2006 / Rules and Regulations
Administrative Procedure Act at 5
U.S.C. 553(d)(1).
The proposed rule was published in
the Federal Register (71 FR 13792) on
March 17, 2006, with a 60-day period
for notice and comment consistent with
the requirements of 5 U.S.C. 553(b).
List of Subjects in 36 CFR Part 7
National Parks, Reporting and
recordkeeping requirements.
In consideration of the foregoing, the
National Park Service amends 36 CFR
part 7 as follows:
I
PART 7—SPECIAL REGULATIONS,
AREAS OF THE NATIONAL PARK
SYSTEM
1. The authority for part 7 continues
to read as follows:
I
Authority: 16 U.S.C. 1, 3, 9a, 460(q),
462(k); Sec. 7.96 also issued under D.C. Code
8–137(1981) and D.C. Code 40–721 (1981).
2. Add new paragraph (d) to § 7.51 to
read as follows:
I
§ 7.51
Curecanti Recreation Area.
*
*
*
*
*
(d) Personal Watercraft (PWC). PWC
may operate within Curecanti National
Recreation Area in the following
designated areas and under the
following conditions:
(1) PWC may operate and land on
Blue Mesa Reservoir between Beaver
Creek and Blue Mesa dam, except that
PWC may not operate in the buoyed
barricaded section in the vicinity of the
dam.
(2) PWC must operate at ‘‘flat wake’’
speeds within Blue Mesa Reservoir in
the following areas upstream of
designated buoys:
(i) Soap Creek arm at approximate
longitude 107°8′9″ N latitude 38°30′16″
W.
(ii) West Elk arm at approximate
longitude 107°16′45″ N latitude
38°29′43″ W.
(iii) Cebolla arm at approximate
longitude 107°12′16″ N latitude
38°27′37″ W.
(iv) Lake Fork arm at approximate
longitude 107°18′19″ N latitude 38°27′2″
W.
(3) PWC must operate at ‘‘flat wake’’
speeds in the following areas:
(i) Within 100’ of shoreline inside Dry
Creek cove.
(ii) Within 500’ of shoreline along old
highway 50 and Bay of Chickens.
(iii) Within the buoyed area around
Elk Creek and Lake Fork marinas.
(iv) Within the buoyed area at Iola,
Stevens Creek, and Ponderosa boat
launch.
(v) From Lake city bridge east to
Beaver Creek.
(vi) Within 100′ of shoreline adjacent
to Stevens Creek campground.
(4) PWC may only be launched from
designated boat launch sites.
(5) The Superintendent may
temporarily limit, restrict or terminate
access to the areas designated for PWC
use after taking into consideration
public health and safety, natural and
cultural resource protection, and other
management activities and objectives.
David M. Verhey,
Acting Assistant Secretary for Fish and
Wildlife and Parks.
[FR Doc. 06–7846 Filed 9–20–06; 8:45 am]
BILLING CODE 4312–52–P
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Parts 51 and 60
[EPA–OAR–2004–0510; FRL–8221–4]
RIN 2060–AF83
Methods for Measurement of Visible
Emissions
Environmental Protection
Agency (EPA).
ACTION: Final rule.
AGENCY:
SUMMARY: This action finalizes Methods
203A, 203B, and 203C for determining
visible emissions using data reduction
procedures that are more appropriate for
State Implementation Plan (SIP) rules
than Method 9, the method currently
used. This action was requested by the
States and is needed for the special data
reduction requirements in their rules.
The intended effect is to provide States
55119
with an expanded array of data
reduction procedures for determining
compliance with their SIP opacity
regulations.
In addition, this action amends
various testing provisions in the New
Source Performance Standards (NSPS)
to correct inadvertent errors and amend
a testing provision.
DATES: This final rule is effective on
September 21, 2006.
ADDRESSES: EPA has established a
docket for this action under Docket ID
No. OAR–2004–0510. All documents in
the docket are listed on the https://
www.regulations.gov Web site. Although
listed in the index, some information is
not publicly available, e.g., CBI or other
information whose disclosure is
restricted by statute. Certain other
material, such as copyrighted material,
is not placed on the Internet and will be
publicly available only in hard copy
form. Publicly available docket
materials are available either
electronically through https://
www.regulations.gov or in hard copy at
the Air and Radiation Docket, Docket ID
No. OAR–2004–0510, EPA Docket
Center (EPA/DC), EPA West, Room
B102, 1301 Constitution Ave., NW.,
Washington, DC. The Public Reading
Room is open from 8:30 a.m. to 4:30
p.m., Monday through Friday, excluding
legal holidays. The telephone number
for the Public Reading Room is (202)
566–1744, and the telephone number for
the Air and Radiation Docket is (202)
566–1742.
FOR FURTHER INFORMATION CONTACT:
Robin Segall, Measurement Technology
Group (E143–02), Air Quality
Assessment Division, EPA, Research
Triangle Park, North Carolina 27711;
telephone (919) 541–0893; fax number
(919) 541–0516; electronic mail address:
segall.robin@epa.gov.
SUPPLEMENTARY INFORMATION:
I. General Information
A. Does this action apply to me?
Categories and entities potentially
regulated by the final rule include the
following:
TABLE 1.—MAJOR ENTITIES POTENTIALLY AFFECTED BY THIS ACTION
rmajette on PROD1PC67 with RULES1
Examples of regulated entities
SIC codes
Fossil Fuel Steam Generators .................................................................................................................................
Industrial, Commercial, Institutional Steam Generating Units .................................................................................
Electric Generating ..................................................................................................................................................
Portland Cement Plants ...........................................................................................................................................
Petroleum Refineries ...............................................................................................................................................
Hot Mix Asphalt Facilities ........................................................................................................................................
Kraft Pulp Mills .........................................................................................................................................................
Municipal Solid Waste .............................................................................................................................................
VerDate Aug<31>2005
14:49 Sep 20, 2006
Jkt 208001
PO 00000
Frm 00033
Fmt 4700
Sfmt 4700
E:\FR\FM\21SER1.SGM
21SER1
4931
4961
4911
3241
2911
2951
2611
4953
NAICS codes
221112
22133
221119
327310
324110
324121
3221
562213
Agencies
[Federal Register Volume 71, Number 183 (Thursday, September 21, 2006)]
[Rules and Regulations]
[Pages 55111-55119]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 06-7846]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
National Park Service
36 CFR Part 7
RIN 1024-AC99
Curecanti National Recreation Area, Personal Watercraft Use
AGENCY: National Park Service, Interior.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: This final rule designates areas where personal watercraft
(PWC) may be used in Curecanti National Recreation Area, Colorado. This
final rule implements the provisions of the National Park Service (NPS)
general regulations authorizing park areas to allow the use of PWC by
promulgating a special regulation. Individual parks must determine
whether PWC use is appropriate for a specific park area based on an
evaluation of that area's enabling legislation, resources and values,
other visitor uses, and overall management objectives.
DATES: Effective Date: This rule is effective September 21, 2006.
ADDRESSES: Mail inquiries to Superintendent, Curecanti National
Recreation Area, 102 Elk Creek, Gunnison, CO 81230 or e -mail NPS at
CURE--Superintendent@nps.gov.
FOR FURTHER INFORMATION CONTACT: Jerry Case, Regulations Program
Manager, National Park Service, 1849 C Street, NW., Room 7241,
Washington, DC 20240. Phone: (202) 208-4206. E-mail: jerry_
case@nps.gov.
SUPPLEMENTARY INFORMATION:
Background
Personal Watercraft Regulation
On March 21, 2000, the National Park Service published a regulation
(36 CFR 3.24) on the management of personal watercraft (PWC) use within
all units of the national park system (65 FR 15077). The regulation
prohibits PWC use in all national park units unless the NPS determines
that this type of water-based recreational activity is appropriate for
the specific park unit based on the legislation establishing that park,
the park's resources and values, other visitor uses of the area, and
overall management objectives. The regulation prohibited PWC use in all
park units effective April 20, 2000, except 21 preserves, lakeshores,
seashores, and recreation areas. The regulation established a 2-year
grace period following the final rule publication to provide these 21
park units time to consider whether PWC use should be allowed. On
November 7, 2002 PWC use was discontinued at Curecanti National
Recreation Area.
Description of Curecanti National Recreation Area
Curecanti National Recreation Area (Curecanti) was established in
1965 to provide for conservation of scenic, natural, historic,
archeological, and wildlife values. The goal of the National Recreation
Area is to provide for public use and enjoyment while ensuring visitor
safety, resource preservation, and conservation. Curecanti is located
along U.S. Highway 50 (U.S. 50) west of Gunnison, Colorado.
Three reservoirs, named for corresponding dams on the Gunnison
River, form the heart of Curecanti. The three reservoirs are Blue Mesa
Reservoir, Morrow Point Reservoir, and Crystal Reservoir. Blue Mesa
Reservoir is Colorado's largest body of water and is home to the
biggest Kokanee Salmon fishery in the United States. Morrow Point
Reservoir is the beginning of the Black Canyon of the Gunnison. Crystal
Reservoir is the site of the Gunnison Diversion Tunnel, a National
Historic Civil Engineering Landmark. In addition to the three
reservoirs, recently discovered dinosaur fossils, a 5,000 acre
archeological district, a narrow gauge train, and traces of 6,000 year
old dwellings further enhance the significance of Curecanti.
Purpose of Curecanti National Recreation Area
The purpose and significance statements listed below are from
Curecanti's Strategic Plan and General Management Plan. Curecanti
National Recreation Area was established for the following purposes:
1. Conserve the scenery, natural, historic, and archeological
resources, and wildlife of Curecanti.
2. Provide for public use and enjoyment in such a way as to ensure
visitor safety and resource preservation or conservation by
establishing and maintaining facilities and providing protection and
interpretive services.
3. Manage the lands, waters, and activities of Curecanti in such a
way that it does not interfere with the purposes of the Colorado River
Storage Project Act and other Bureau of
[[Page 55112]]
Reclamation agreements affecting the operation of the Aspinall Unit.
4. Mitigate the loss of fish and wildlife resources as a result of
the Colorado River Storage Project.
Significance of Curecanti National Recreation Area
The following statements summarize the significance of Curecanti:
1. Blue Mesa Reservoir is one of the largest high-altitude bodies
of water in the United States. It provides an exciting diversity of
water recreation opportunities for windsurfers, sail boaters, and water
skiers.
2. The scenic values of the canyon, the needles, the pinnacles, and
the reservoirs provide dramatic contrast, which causes visitors to slow
down, pause, and reflect on the diversity of the landscape and its
spaciousness.
3. Curecanti provides one of the best cold-water fishing
opportunities in the nation. This is due primarily to the Kokanee
salmon run occurring in Blue Mesa. The Morrow Point and Crystal
Reservoirs' trout fisheries routinely attract fishing enthusiasts from
throughout the nation because of the high-quality trout fishing and
uniqueness of the canyon environment.
4. The prehistoric and historic stories of human culture in the
Curecanti area are recorded in the traces and tracks left by Native
Americans, miners, railroaders, and ranchers. The cultural history of
this area documents not only the human struggles to survive but also
how changing human value systems; economic, social, and technological
changes; and the importance of water have shaped the use and character
of the land and its people. Cultural history contains archeological
examples of some of the oldest villages found in North America,
predating the building of the pyramids.
5. The narrow-gauge railroad exhibit in Cimarron graphically
portrays the story of technology's effects of shaping people and using
land; the agony and difficulties of building track in narrow canyons in
the winter where the sun seldom shined; and of taking the hard way
instead of the easy trail. Examples of a locomotive, tender, and
caboose used on the railroad are on exhibit at Cimarron.
The park's mission statement is as follows: ``Curecanti National
Recreational Area will preserve, protect, and interpret the tremendous
collection of nationally significant, diverse natural and cultural
resources balanced with the provision of outstanding recreational
opportunities.''
Authority and Jurisdiction
Under the National Park Service's Organic Act of 1916 (Organic Act)
(16 U.S.C. 1 et seq.) Congress granted the NPS broad authority to
regulate the use of the Federal areas known as national parks. In
addition, the Organic Act (16 U.S.C. 3) authorizes the NPS, through the
Secretary of the Interior, to ``make and publish such rules and
regulations as he may deem necessary or proper for the use and
management of the parks * * *''
16 U.S.C. 1a-1 states, ``The authorization of activities shall be
conducted in light of the high public value and integrity of the
National Park System and shall not be exercised in derogation of the
values and purposes for which these various areas have been established
* * *''
As with the United States Coast Guard, NPS's regulatory authority
over waters subject to the jurisdiction of the United States, including
navigable waters and areas within their ordinary reach, derives from
the U.S. Constitution. In regard to the NPS, based upon the Property
and Commerce Clauses, Congress in 1976 directed the NPS to ``promulgate
and enforce regulations concerning boating and other activities on or
relating to waters within areas of the National Park System, including
waters subject to the jurisdiction of the United States * * *'' (16
U.S.C. 1a-2(h)). In 1996 the NPS published a final rule (61 FR 35136,
July 5, 1996) amending 36 CFR 1.2(a)(3) to clarify its authority to
regulate activities within the National Park System boundaries
occurring on waters subject to the jurisdiction of the United States.
PWC Use at Curecanti National Recreation Area
Curecanti National Recreation Area includes Blue Mesa Reservoir,
which was created with the completion of the Blue Mesa Dam. Blue Mesa
Reservoir is comprised of three basins: Sapinero, Cebolla, and Iola as
well as various arms. The basins are often referred to as the main body
of the reservoir to distinguish activities there from activities in the
arms.
Approximately 1 million visitors use Curecanti's facilities
annually. This figure includes visitors who pursue water-based
recreation activities on the reservoir and those who engage in other
recreation opportunities. Motorboats and other watercraft have been
used in Curecanti since 1975. Personal watercraft have emerged at
Curecanti only since their introduction in the 1980s, and particularly
since the summer of 1995 when personal watercraft were available for
rent from a park concessioner. Park staff believes PWC use has
increased since 1995, and a registration survey mailed to vessel users
requesting an annual permit revealed that in 2000, 0.69% of over 400
respondents were PWC users. The annual use is estimated to have been
792 PWC in 2002, and is predicted to increase at approximately 2%
annually to 965 PWC in 2012. Based on ranger observation, most PWC
users are from Colorado, they limit their PWC use to approximately 2
hours, and they wear a wetsuit because of cold-water temperatures and
high afternoon winds. In addition, PWC use has conflicted with both
bank and boat fishermen from Dry Creek to Bay of Chickens. Before the
prohibition on PWC use, the General Management Plan and
Superintendent's Compendium allowed personal watercraft and other
watercraft to operate only on the main body of the Blue Mesa Reservoir
and lake arms with speed and zone restrictions. PWC use was prohibited
in all other areas of the park through restrictions on horsepower and
restrictions on motorized vessels. Personal watercraft generally did
not operate at the extreme ends of lake arms because the arms are
narrow in width. On the main body of the reservoir, personal watercraft
were widely distributed. In addition to the main body, high-use areas
include the Iola Basin and Colorado State Highway 149 (Highway 149)
areas. Other locations with limited use include Stevens Creek, Cebolla
Basin, Soap Creek Arm, Bay of Chickens, and the main marina at Elk
Creek.
This rulemaking is focusing exclusively on PWC use at the park. The
park also intends to develop a water/vessel management plan for the use
of other vessels.
NPRM and Environmental Assessment
On March 17, 2006, the National Park Service published a Notice of
Proposed Rulemaking (NPRM) for the operation of PWC at Curecanti (71 FR
13792). The proposed rule for PWC use was based on alternative A (one
of three alternatives considered) in the Environmental Assessment (EA)
prepared by NPS for Curecanti. The EA was open for public review and
comment from June 11, 2003 until July 13, 2003. The EA is available at
https://www.nps.gov/cure/webvc/pwc_use.htm.
The purpose of the environmental assessment was to evaluate a range
of alternatives and strategies for the management of PWC use at
Curecanti to ensure the protection of park resources and values while
offering recreational
[[Page 55113]]
opportunities as provided for in the National Recreation Area's
enabling legislation, purpose, mission, and goals. The assessment
assumed alternatives would be implemented beginning in 2002 and
considered a 10-year period, from 2002 to 2012. The assessment also
compared each alternative to PWC use before November 7, 2002, when the
prohibition took effect.
The environmental assessment evaluated three alternatives
addressing the use of personal watercraft at Curecanti:
Alternative A--By using a special regulation, the park would
reinstate PWC use as previously managed prior to November 7, 2002, and
would add one buffer zone as described below. Under this alternative,
PWC use would occur in areas of Blue Mesa Reservoir and portions of the
lake arms. Areas appropriate for PWC use would include Sapinero,
Cebolla, and Iola Basins; Bay of Chickens; Dry Creek; Elk Creek; the
Highway 149 area; and Lake Fork, Soap Creek, and West Elk arms.
Operation of all motorized watercraft would continue to be prohibited
in areas east of Beaver Creek within the Gunnison River Canyon and in
the area downstream from the East Portal diversion dam. All designated
launch areas on Blue Mesa Reservoir (developed and unimproved) would
remain open to PWC use. Personal watercraft would be allowed to land on
any shoreline at Blue Mesa Reservoir.
The following areas would remain closed to all boating, including
personal watercraft, and shoreline entry: Blue Mesa Dam downstream for
225 yards, Morrow Point Dam downstream for 130 yards, Crystal Dam
downstream for 700 yards, and East Portal diversion dam upstream for 60
yards. In addition, the following areas would be zoned as flat wake
speed areas: The area upstream from Lake City Bridge to Beaver Creek;
the area within the arms of Blue Mesa Reservoir that is less than 1,000
feet from shore to shore at full pool level. These areas will be marked
by designated buoys. These arms include Soap Creek Arm, West Elk Arm,
Lake Fork Arm, and Cebolla Arm; narrow waterways off the Bay of
Chickens and Dry Creek; Elk Creek and Lake Fork Marinas; and Iola and
Stevens Creek boat launch areas.
In addition to the areas outlined above, a 100-foot buffer zone
from the shoreline would be established at the Stevens Creek
campground, as marked by buoys. The buffer area would be zoned as a
flat wake speed area. A buffer zone will provide for the protection of
an active Gunnison sage grouse lek and nesting area, and would mitigate
potential noise impacts from PWC use and associated shoreline use
during the lek and nesting season (mid-March-July).
Alternative B--Same as alternative A, with the following additional
restrictions. This alternative would establish a 100-foot buffer zone
along the south shore of Blue Mesa Reservoir from 0.5 mile west of Iola
to 0.5 mile east of Middle Bridge for soundscape, cultural resource,
and wildlife protection as well as to prevent erosion.
Alternative B includes further speed restrictions. Under this
alternative, the additional speed restrictions would apply to PWC use
in each of the lake arms on Blue Mesa Reservoir from the mouth of each
lake arm upriver to the flat wake areas. In these restricted areas PWC
use would need to operate at flat wake speeds when within 150 feet of
another boat, a person in or floating on the water, shore fisherman, a
launching ramp, a dock, or a designated swimming area.
No-Action Alternative--The park would continue the PWC prohibition.
PWC use would not be reinstated and the National Park Service would not
take action to draft a special regulation to reinstate PWC use.
Alternative A is the park's preferred alternative because it best
fulfills the park responsibilities as trustee of the sensitive habitat;
ensures safe, healthful, productive, and aesthetically and culturally
pleasing surroundings; and attains a wider range of beneficial uses of
the environment without degradation, risk of health or safety, or other
undesirable and unintended consequences.
This final rule contains regulations to implement alternative A at
Curecanti.
Summary of Comments
A proposed rule on PWC use in the Curecanti National Recreation
Area was published in the Federal Register for public comment on March
17, 2006, with the comment period lasting until May 16, 2006 (71 FR
13792). The National Park Service (NPS) received 2,325 timely written
comments regarding the EA and proposed regulation. Of the comments,
1,935 were form letters in 10 different formats, 345 were on a
petition, and 45 were separate letters. Of the 45 separate letters, 37
were from individuals, 7 from organizations, and 1 from a public
agency. Within the following discussion, the term ``commenter'' refers
to an individual, organization, or public agency that responded. The
term ``comments'' refers to statements made by a commenter.
General Comments
1. Several commenters, including Bluewater Network and the American
Canoe Association, stated that the EA failed to use the best data
available and picked alternative A without adequate scientific
justification.
NPS Response: The EA analyzed every applicable impact topic with
the best available data, as required by Council on Environmental
Quality regulations (40 CFR 1502.22). Where data was lacking, best
professional judgment prevailed using assumptions and extrapolations
from scientific literature, other park units where personal watercraft
are used, and personal observations of park staff.
2. Several commenters stated that allowing PWC use with additional
restrictions violates the park's enabling legislation and NPS mandate
to protect resources from harm.
NPS Response: The NPS analysis of PWC use specifically considered
the requirements of Curecanti National Recreation Area's enabling
legislation. The authorizing legislation for Curecanti was carefully
considered when developing alternatives for the EA. The objective of
the EA, as described in the ``Purpose and Need'' Chapter of the EA, was
derived from the enabling legislation for Curecanti. As a result, the
alternatives presented in the EA were developed to protect resources
and values while providing recreational opportunities at Curecanti. As
required by NPS policies, the impacts associated with PWC and other
recreational uses are evaluated under each alternative to determine the
potential for impairment to park resources. NPS has concluded that
alternative A would not result in impairment of park resources and
values for which the Curecanti was established. The recreation area's
enabling legislation also states that the ``Secretary shall administer
Curecanti National Recreation Area for general purposes of public
outdoor recreation.'' The goal of the national recreation area is to
provide each visitor with an educational, enjoyable, safe and memorable
experience.
3. One commenter suggested clarifying the language in the proposed
rule about landing restrictions near the dam.
NPS Response: We agree and text has been added to the rule to
address the buoyed barricaded sections in the vicinity of the dams,
where boats are not allowed.
4. One commenter stated the analysis did not adequately consult
with and seek the expertise of various agencies,
[[Page 55114]]
which appears to violate the NPS PWC regulations.
NPS Response: The final PWC regulation published by the NPS in
March 2000 indicates that we intend to seek the expertise of the U.S.
Environmental Protection Agency (EPA), Occupational Safety and Health
Administration (OSHA) and other relevant agencies and literature when
deciding whether to allow continued PWC use in units of the National
Park System. The EA references EPA and OSHA regulations and studies
throughout the document.
5. Several commenters stated that the decision violates the Organic
Act and will result in the impairment of resources.
NPS Response: The ``Summary of Laws and Policies'' section in the
``Environmental Consequences'' chapter of the EA summarizes the three
overarching laws that guide the NPS in making decisions concerning
protection of park resources. These laws, as well as others, are also
reflected in the NPS Management Policies. An explanation of how the NPS
applied these laws and policies to analyze the effects of personal
watercraft on Curecanti resources and values can be found under
``Impairment Analysis'' in the ``Methodology'' section of the EA.
Under the EA's methodology, an impairment to a particular park
resource or park value is indicated when the impact reaches the
magnitude of ``major,'' as defined by its context, duration, and
intensity and must also affect the ability of the National Park Service
to meet its mandates as established by Congress in the park's enabling
legislation. For each impact topic, the EA establishes thresholds or
indicators of magnitude of impact. For each impact topic, when the
intensity approached ``major,'' the park would consider mitigation
measures to reduce the potential for ``major'' impacts, thus reducing
the potential for impairment. The NPS has determined that the preferred
alternative would not result in impairment of park resources or values.
6. One commenter is concerned about PWC use conflicting with
swimmers and anglers at Curecanti.
NPS Response: Additional management restrictions have been put into
effect in the regulation to prevent conflicts with swimmers, shore
anglers and watercraft. The popular day use areas, such as Dry Creek
and Bay of Chickens, have flat wake buoys in place to keep vessels at
flat wake speeds in congested areas until they are out into open water.
The preferred alternative would keep this restriction in place.
7. One commenter is concerned that the assumption of PWC growth at
Curecanti may be underanalyzed, and instead of using a 2 percent growth
rate in the analysis, a 5 percent growth rate would more accurately
reflect the conditions in Colorado.
NPS Response: The estimated annual increase in PWC use of 2%
appears justified in light of several lines of evidence. While the
overall increase in PWC use from 1994 to 2002 is over 300%, the
majority of that increase occurred through 1997. Since then, the
increases decreased every year to the point where there was a net
decrease of 1% between 2001 and 2002. This decrease in PWC use in
Colorado parallels the decrease in nationwide PWC use and the decrease
in visitors to the park between 1999 and 2001. The projected annual
growth in population in the region and the state is 1.7 to 2.0%. For
this combination of reasons, the projected increase in PWC use at the
park is reasonable.
Comments Regarding Water Quality
8. Several commenters stated that research indicated that direct-
injection 2-stroke engines are dirtier than 4-stroke engines.
NPS Response: Total hydrocarbons (THC) emissions factors for 2-
stroke carbureted PWC engines are approximately 13 times greater than
for 4-stroke PWC engines. This is a major factor in the EPA rule
requiring the phase out of carbureted 2-stroke engines. However, the
two-stroke direct injection engines are almost as clean burning as the
four-stroke.
9. One commenter stated that the analysis disregarded or overlooked
relevant research regarding impacts to water quality from PWC use as
well as the impact to downstream resources and long-term site specific
water quality data on PWC pollutants.
NPS Response: The EA states that in 2002 impacts to water quality
from PWC on a high-use day would be negligible for all chemicals
evaluated based on ecological and human health benchmarks and for
benzo(a)pyrene based on human health benchmarks.
10. One commenter stated that the assumption that there is enough
water in the lake to dilute PWC pollutants to levels that do not
violate state and Federal standards is incorrect, and that the
concentration of PWC operation in certain areas of the lake means that
there is less water available for mixing.
NPS Response: As described on pages 51 and 52 of the EA, the
effective mixing zone volume of 52,433 acre-feet (which is compared to
the threshold volumes) is based on the difference between the volume at
minimum pool (192,270 acre-feet) and the volume at the thermocline
(139,837 acre-feet). This is a conservative estimate of the mixing zone
for the reservoir because the lowest recorded elevation of the
reservoir is 7,428 feet while the minimum pool elevation is 7,393 feet,
a difference of 35 feet. At the time of preparation of the EA (January
2003), the elevation was 7,445 feet, 52 feet above minimum pool. While
PWC use may be concentrated in, but not restricted to, areas between
Elk Creek and the Lake City Bridge and in the Soap Creek Arm, water in
these areas will mix with waters outside of the areas. The maximum
calculated threshold volume needed to dilute emissions from personal
watercraft under any alternative is 4,534 acre-feet for benzene in 2002
(see Table 18 of EA). Impacts to water quality are termed negligible in
view of the fact that the threshold volume is less than the available
mixing zone volume and that the half-life of benzene is less than 5
hours. This assessment of adverse impacts due to PWC use on a peak-use
day (16 personal watercraft) is conservative even if PWC use is
concentrated in a few areas of the reservoir.
11. One commenter stated that the analysis represents an outdated
look at potential emissions from an overstated PWC population of
conventional 2-stroke engines, and underestimated the accelerating
changeover to 4-stroke and new 2-stroke engines. The EA also states
that benzo(a)pyrene concentrations in gasoline range from 0.19 to 2.8
mg/kg, but the EA chooses the highest figure for the analysis. The net
effect is that the analysis overestimates potential PWC hydrocarbon
emissions, including benzene and polycystic aromatic hydrocarbons
(PAHs), to the water in Blue Mesa Reservoir.
NPS Response: Assumptions regarding PWC use (16 per day in 2002 and
20 per day in 2012) were based on actual count data from the month of
July 2002 and on park staff observations. Because of holiday timing in
2001 and poor weather, the observation of 9 personal watercraft on a
peak-use day was thought to be more typical of a non-peak use summer
day, not a peak-use day. Therefore, peak-use PWC numbers in 2002 were
estimated to be 16 vessels. PWC use at other times of the year ranged
from 0 to 4 PWC per day. Data for the years 2001 and 2002 were the only
data available for Curecanti (page 75 of EA). Because data from other
years were not available, trends in PWC use at Curecanti could not be
determined for use in the EA. The July 2002 estimate can be considered
a ``worst case''
[[Page 55115]]
estimate, but it is not ``unrealistic'' since it is based on actual
Curecanti data and park staff observations. Despite these conservative
estimates, impacts to water quality from personal watercraft are judged
to be negligible for all alternatives evaluated. If the assumptions
used were less than conservative, the conclusions could not be
considered protective of the environment, while still being within the
range of expected use.
12. One commenter stated that even minor oil spills can cause
increased levels of volatile organic compounds (VOCs) and PAHs in the
water, which will cause damage to aquatic wildlife.
NPS Response: Impacts to wildlife from PWC under alternative A
range from negligible to minor adverse. Impacts to water quality from
the discharge of fuel constituents under alternative A range from
negligible to minor adverse.
13. One commenter stated that levels of methyl tertiary-butyl ether
(MTBE) levels must be tested and disclosed to the public, yet the EA
does not disclose the levels of toxins (BTEX, PAHs and MTBE) from
samples taken in the summer of 2000.
NPS Response: MTBE was not included in the analysis of impacts to
water quality because MTBE is banned in Colorado and is unlikely to be
brought into the park in large quantities. Although potential
concentrations of gasoline-related constituents in the water were not
included in the proposed rule, they were used in the calculations of
water volumes needed to dilute constituents to levels below the
ecotoxicological and human health benchmarks in the Environmental
Consequences section of the EA.
Colorado is not the only state to ban MTBE. According to data
provided by the Energy Information Administration (EIA) (https://
www.eia.doe.gov/oiaf/servicerpt/mtbeban/table1.htm), which was last
updated March 27, 2003, 17 states have banned or restricted the
concentration of MTBE in gasoline.
Comments Regarding Air Quality
14. One commenter stated that the analysis failed to mention the
impact of PWC permeation losses on local air quality.
NPS Response: Permeation losses of volatile organic compounds
(VOCs) from personal watercraft were not included in the calculation of
air quality impacts primarily because these losses are insignificant
relative to emissions from other operating watercraft. Also, permeation
losses were not included because of numerous related unknown
contributing factors such as the number of personal watercraft
refueling at the reservoir and the location of refueling (inside or
outside of the airshed). Using the permeation loss numbers in the
comment (estimated to be half the total of 7 grams of losses per 24
hours from the fuel system), the permeation losses per hour from fuel
systems are orders of magnitude less than emissions from operating
personal watercraft. Therefore, we believe the inclusion of permeation
losses would not have a significant effect on the results of the air
quality impact analyses.
15. One commenter expressed concern that PWC emissions were
declining faster than forecasted by the EPA. As the Sierra Report
documents, in 2002, hydrocarbons (HC) + nitrogen oxides
(NOX) emissions from the existing fleet of PWC were already
23% lower than they were before the EPA regulations became effective,
and will achieve reductions greater than 80% by 2012.
NPS Response: The EPA data incorporated into the 1996 Spark
Ignition Marine Engine rule were used as the basis for the assessment
of air quality, and not the Sierra Research data. It is agreed that
these data show a greater rate of emissions reductions than the
assumptions in the 1996 Rule and in the EPA NONROAD Model, which was
used to estimate emissions. However, the level of detail included in
the Sierra Research report has not been carried into the EA for reasons
of consistency and conformance with the model predictions. Most states
use the EPA NONROAD Model for estimating emissions from a broad array
of mobile sources. To provide consistency with state programs and with
the methods of analysis used for other similar NPS assessments, the NPS
has elected not to base its analysis on focused research such as the
Sierra Report for assessing PWC impacts.
It is agreed that the relative quantity of HC + NOX are
a very small proportion of the county based emissions and that this
proportion will continue to be reduced over time. The EA takes this
into consideration in the analysis.
For consistency and conformity in approach, the NPS has elected to
rely on the assumptions in the 1996 Spark Ignition Engine Rule which
are consistent with the widely used NONROAD emissions estimation model.
The outcome is that estimated emissions from combusted fuel may be in
the conservative range, if compared to actual emissions.
Comments Regarding Soundscapes
16. One commenter stated that continued PWC use at Curecanti will
not result in sound emissions that exceed the applicable Federal or
State noise abatement standards, and technological innovations by the
PWC companies will continue to result in substantial sound reductions.
NPS Response: The NPS concurs that on-going and future improvements
in engine technology and design would likely further reduce the noise
emitted from PWC. However, given the ambient noise levels in the
recreation area, it is unlikely that the improved technology could
reduce all cumulative impacts of motorized vessels beyond minor to
moderate through out the recreation area.
17. One commenter stated that the NPS places too much hope in new
technologies significantly reducing PWC noise since there is little
possibility that the existing fleet of more than 1.1 million machines
(most of which are powered by conventional two-stroke engines) will be
retooled to reduce noise. Furthermore, many PWC owners modify the
exhaust system to increase horsepower and thrust, which can render
useless the attempts by manufacturers to reduce engine noise levels.
NPS Response: The analysis of the preferred alternative states that
noise from PWC would continue to have minor to moderate, temporary
adverse impacts, and that impact levels would be related to number of
PWC and sensitivity of other visitors. This recognizes that noise will
occur and will bother some visitors, but site-specific modeling was not
needed to make this assessment. The availability of noise reduction
technologies is also growing, and we are not aware of any scientific
studies that show these technologies do not reduce engine noise levels.
Also, the analysis did not rely heavily on any noise reduction
technology. It recognizes that the noise from the operation of PWC will
always vary, depending on the speed, manner of use, and wave action
present.
Although PWC use does occur throughout the lake, it is concentrated
more in certain areas, and this is noted in the soundscapes impact
analysis that follows the introductory statements and assumptions
listed on page 104 of the EA. The analysis did not assume even
distribution of PWC and predicted moderate impacts from concentrated
PWC use in one area.
Comments Regarding Wildlife and Threatened and Endangered Species
18. One commenter stated that the analysis lacked site-specific
data for impacts to wildlife, fish, and threatened and endangered
species at Curecanti.
[[Page 55116]]
NPS Response: The park did not conduct site-specific studies
regarding potential effects of PWC use on wildlife species at
Curecanti. Analysis of potential impacts of PWC use on wildlife at the
national recreation area was based on best available data, input from
park staff, and the results of analysis using that data.
19. One commenter stated that PWC use and human activities
associated with their use may not be any more disturbing to wildlife
species than any other type of motorized or non-motorized watercraft.
The commenter cites research by Dr. Rodgers, of the Florida Fish and
Wildlife Conservation Commission, whose studies have shown that PWC are
no more likely to disturb wildlife than any other form of human
interaction. PWC posed less of a disturbance than other vessel types.
Dr. Rodgers' research clearly shows that there is no reason to
differentiate PWC from motorized boating based on claims on wildlife
disturbance.
NPS Response: Based on the documents provided as part of this
comment, it appears that PWC are no more apt to disturb wildlife than
are small outboard motorboats; however, disturbance from both PWC and
outboard motorboats does occur. In addition to this conclusion, Dr.
Rogers recommends that buffer zones be established, creating minimum
distances between boats (personal watercraft and outboard motorboats)
and nesting and foraging waterbirds. Under the final rule, there will
be a 100-foot buffer around Steven's Creek campground for Gunnison sage
grouse protection. This buffer area will be zoned as flat wake speed
for all motorized watercraft. The arms of the lake would remain flat
wake speed areas to minimize disturbances to wildlife and visitors.
Impacts to wildlife and wildlife habitat under all the alternatives
were judged to be minor to moderate from all visitor activities.
20. One commenter is concerned that the EA does not consider a
large enough area inland in its analysis for PWC noise and its impact
upon wildlife. The EA states that PWC may disturb wildlife along the
shore, extending inland approximately 100 feet, while the distance used
for analyzing impacts upon humans is \3/4\ of a mile.
NPS Response: The evaluation area used in the EA for noise impacts
to wildlife is 200 feet, not 100 feet from the shoreline. Even within
this relative short distance from personal watercraft, noise impacts to
wildlife are expected to be short-term and either minor or negligible.
Noise levels from PWC use would be decreased further at greater
distances. However, additional potentially affected wildlife may be
present within 3/4 mile of the shoreline. Therefore impact levels may
increase slightly from those described for the various alternatives and
wildlife categories. In the errata to the EA, impacts described as
negligible were changed to minor, impacts described as minor were
changed to moderate, and ranges of impacts from negligible to minor
were changed to minor to moderate.
21. Several commenters are concerned about PWC impacting the
Gunnison sage grouse and its habitat and lek located near Stevens Creek
campground.
NPS Response: Under the final rule, a 100-foot buffer area, as
marked by buoys, will be implemented around Steven's Creek campground
for protection of the Gunnison sage grouse lek. This buffer area will
be zoned as flat wake speed for all motorized vessels.
22. One comment stated that the additional buffer zones proposed
for Gunnison sage grouse protection are not necessary because the NPS
already has procedures in place that protect the grouse lek located
near Stevens Creek campground.
NPS Response: The flat wake zone near Stevens Creek campground will
apply to all motorized boats, and would afford additional protection to
the Gunnison sage grouse during the lek season, which extends from
March through mid-May, when PWC and other boats may be in use on the
reservoir.
Comments Regarding Vegetation
23. One commenter stated that there has been no documentation of
any adverse effects to shoreline vegetation from PWC use.
NPS Response: The NPS agrees. There are no sensitive shoreline
species and vegetation along the Blue Mesa Reservoir shoreline is
generally lacking. The shoreline buffer established near Stevens Creek
campground and in the arms of the lake will provide some additional
protection from erosion caused from wave action created by PWC.
Shoreline vegetation is more likely to be impacted from wave action
when the reservoir is at full pool.
Comments Regarding Visitor Safety
24. One commenter stated that the conclusion that PWC use poses a
health and safety risk ``primarily to the operators'' themselves is
mistaken and the analysis does not adequately assess the safety threat
posed to park visitors by PWC use.
NPS Response: Incidents involving watercraft of all types,
including PWC, are reported to and logged by NPS staff. A very small
proportion of incidents in the recreation area are estimated to go
unreported. In the ``Visitor Conflicts and Visitor Safety'' section of
the ``Affected Environment'' chapter of the EA, it is reported by the
National Transportation Safety Board that in 1996 personal watercraft
represented 7.5% of state-registered recreational boats but accounted
for 36% of recreational boating accidents. In the same year, PWC
operators accounted for more than 41% of people injured in boating
accidents. PWC operators accounted for approximately 85% of the persons
injured in accidents studied in 1997.
25. One commenter stated that the accident data used in the
analysis was outdated and incorrect because PWC accidents are reported
more often than other boating accidents.
NPS Response: The mediating factors described in the comment are
recognized. However, these factors are unlikely to fully explain the
large difference in percentages (PWC are only 7.5% of registered
vessels, yet they are involved in 36% of reported accidents). In other
words, PWC are 5 times more likely to have a reportable accident than
are other boats. Despite these national boating accident statistics,
impacts of PWC use and visitor conflicts are judged to be negligible
relative to swimmers and minor impact relative to other motorboats at
the national recreation area.
26. Several commenters stated that the NPS analysis downplayed the
threat PWC pose to the visiting public, specifically regarding PWC fire
hazards.
NPS Response: According to the National Marine Manufacturers
Association (NMMA), PWC manufacturers have sold roughly 1.2 million
watercraft during the last ten years. Out of 1.2 million PWC sold, the
U.S. Coast Guard had only 90 reports of fires/explosions in the years
from 1995-1999. This is less than 1% of PWC boats having reports of
problems associated with fires/explosions. As far as the recall
campaigns conducted by Kawasaki and Bombardier, the problems that were
associated with fuel tanks were fixed. Kawasaki conducted a recall for
potentially defective fuel filler necks and fuel tank outlet gaskets on
23,579 models from the years 1989 and 1990. The fuel tank problems were
eliminated in Kawasaki's newer models, and the 1989 and 1990 models are
most likely not in use anymore, since life expectancy of a PWC is only
five to seven years, according to the PWC Industry Association (PWIA).
Bombardier also did a recall for its 1993, 1994, and 1995 models to
reassess possible fuel tank design flaws.
[[Page 55117]]
However, the number of fuel tanks that had to be recalled was a very
small percent of the 1993, 1994, and 1995 fleets, because fuel tank
sales only amounted to 2.16% of the total fleet during this period
(Bombardier Inc.). The replacement fuel tanks differed from those
installed in the watercraft subject to the recall in that the
replacement tanks had revised filler neck radius, and the installation
procedure now also requires revised torque specifications and the fuel
system must successfully complete a pressure leak test. Bombardier
found that the major factor contributing to PWC fires/explosions was
over-torquing of the gear clamp. Bombardier was legally required by the
U.S. Coast Guard to fix 9.72% of the recalled models. Out of 125,349
recalls, the company repaired 48,370 units, which was approximately 38%
of the total recall, far exceeding their legal obligation to repair
units with potential problems.
Further, fuel tank and engine problems that could be associated
with PWC fires have been reduced significantly since the NMMA set
requirements for meeting manufacturing regulations established by the
U.S. Coast Guard. Many companies even choose to participate in the more
stringent Certification Program administered by the NMMA. The NMMA
verifies annually, or whenever a new product is put on the market, boat
model lines to determine that they satisfy not only the U.S. Coast
Guard regulations but also the more rigorous standards based on those
established by the American Boat and Yacht Council.
27. One commenter stated that demographic and usage information
demonstrates that today's PWC owner typically uses PWC for family-
oriented outings, and that they are not reckless ``stunt'' operators.
NPS Response: NPS agrees that some PWC operators are more mature
and are not reckless with their machines, and that many trips are
family-oriented. However, PWC use does vary, and many operators still
use the machines for ``thrill,'' including stunts, wake jumping, and
other more risky exercises. Some users can still create disturbances or
safety concerns, especially if children are operating the vessel. As
part of the implementation of the final rule, NPS will provide
additional enforcement and education to minimize the possibility of any
serious injuries.
28. One commenter stated that even though the industry has
attempted to promote three-person PWC as family machines, they are
advertised and marketed as thrillcraft that tout the machine's speed
and power in advertisements.
NPS Response: NPS agrees. However, some PWC operators are better
educated and are not reckless with their machines, and many trips are
family-oriented. PWC use does vary, and many operators still use the
machines for ``thrill,'' including stunts, wake jumping, and other more
risky exercises.
29. One commenter stated that several agencies, including the U.S.
Coast Guard and the National Association of State Boating Law
Administrators, recommend uniform application of flat wake zones to all
motorized vessels.
NPS Response: The flat wake restrictions apply to all vessels, not
just PWC. All vessels are required to observe the flat wake regulatory
buoys as required by 36 CFR 3.6(c).
30. Several commenters were concerned about the NPS' reliance on
PWC ``self-policing'' regarding speed and flat wake zones, and that
both alternative A and B will require additional staff to monitor and
enforce the restrictions.
NPS Response: The EA does state that generally there is at least
one law enforcement ranger on the reservoir daily during daylight
hours. There are also employees from other divisions who make boating
contacts and/or report violations they observe while performing their
tasks on the reservoir. Park staff noted that visitors frequently
report violators of boating regulations, especially in the marinas.
Furthermore, enforcement would also be required under the no-action
alternative. The park is fully aware that this new regulation will
require short-term changes and reallocation of assets and resources,
with an increase in enforcement. However, this effort will generally
occur at popular boating use areas that are already the focus of
enforcement activity. Enforcement of the November 6, 2002, prohibition
of PWC required an increased focus on education and PWC enforcement
during routine patrols at a limited number of popular use areas. This
education and enforcement effort became successful in about two boating
seasons. Additional educational efforts and a presence on the water by
park rangers are proven methods of protecting resources for the future
enjoyment of all visitors, with the end result of enhancing the visitor
experience.
Comments Regarding Cultural Resources
31. One commenter stated that the analysis refers to a potential
concern that the ability of PWC operators to access remote areas of the
park unit might make certain cultural, archeological and ethnographic
sites vulnerable to looting or vandalism.
NPS Response: The EA was focused on the analysis of impacts from
PWC use. The use of a PWC can make it easier to reach some remote
upstream areas, compared to hiking to these areas and we agree that the
type of impacts to cultural resources from any users of remote areas of
the park would be similar if they can reach these areas. However, there
is no indication of any instances where these problems have occurred
from PWC users. Nor is there any reason to believe that PWC users are
any more likely to pose these concerns than canoeists, kayakers,
hikers, or others who might access these same areas.
Comments Regarding Socioeconomics
32. Several commenters stated that the proposed rule fails to
mention the economic impacts on the PWC-related businesses in the area.
One of the comments also mentions a recently published economic study
that discusses the economic impact of prohibiting PWC at national parks
nationwide.
NPS Response: NPS reviewed the Trade Partnership study quoted in
the comment, which concludes that PWC sales grew steadily through 1995,
and have declined dramatically since then. The study blames this
decline in sales on the PWC prohibition at National Parks. While the
PWC prohibition at some National Park units may have contributed
slightly to decline in PWC sales, NPS disagrees with the study's
conclusion that the prohibition is the primary reason for the decline
in sales. Initially PWC use occurred in only 32 of the 87 park units
that allow motorized boating. These 32 park units comprise a very small
percentage of the total waterways in the United States that can
accommodate PWC. A decline in PWC sales can be attributed to many other
reasons, including economic reasons, perceptions about the machines,
and limitations by other public entities. In fact, at least 34 states
have either implemented or considered regulating PWC use and operation,
and various Federal agencies have managed PWC use differently than
other classes of motorized watercraft.
The economic analysis report quoted in the comment (Economic
Analysis of Management Alternatives for Personal Watercraft in
Curecanti National Recreation Area, MACTEC Engineering 2003) concludes
that the rule is not expected to reduce any of the local area's PWC-
related businesses' profit margins or reduce the competitiveness
[[Page 55118]]
of PWC rental and retail businesses. The report also concludes that
increases in revenue are projected under the rule, relative to the no-
action alternative, for firms selling and renting PWC to Curecanti
visitors.
The purpose of the economic analysis was not to look at national
economic trends of the service-wide rule, but to consider local and
regional economic impacts of the Curecanti proposed rule.
Changes to the Final Rule
The final rule is the same as proposed in the NPRM, except that
language has been added to paragraph (d)(1) of Sec. 7.51 to address
the buoyed barricaded sections in the vicinity of the Blue Mesa Dam,
where boats are not allowed. This change was made in response to
comments, as discussed in section 3 of the Summary of Comments, above.
Compliance With Other Laws
Regulatory Planning and Review (Executive Order 12866)
This document is not a significant rule and has not been reviewed
by the Office of Management and Budget under Executive Order 12866.
(1) This rule will not have an effect of $100 million or more on
the economy. It will not adversely affect in a material way the
economy, productivity, competition, jobs, the environment, public
health or safety, or State, local, or tribal governments or
communities. The National Park Service has completed the report
``Economic Analysis of Management Alternatives for Personal Watercraft
in Curecanti National Recreation Area'' (MACTEC Engineering, July
2003). This document may be viewed on the park's Web site at: https://
www.nps.gov/cure/webvc/pwc_use.htm.
(2) This rule will not create a serious inconsistency or otherwise
interfere with an action taken or planned by another agency. Actions
taken under this rule will not interfere with other agencies or local
government plans, policies or controls. This rule is an agency specific
rule.
(3) This rule does not alter the budgetary effects of entitlements,
grants, user fees, or loan programs or the rights or obligations of
their recipients. This rule will have no effects on entitlements,
grants, user fees, or loan programs or the rights or obligations of
their recipients. No grants or other forms of monetary supplements are
involved.
(4) This rule does not raise novel legal or policy issues. This
rule is one of the special regulations being issued for managing PWC
use in National Park Units. The National Park Service published general
regulations (36 CFR 3.24) in March 2000, requiring individual park
areas to adopt special regulations to authorize PWC use. The
implementation of the requirement of the general regulation continues
to generate interest and discussion from the public concerning the
overall effect of authorizing PWC use and National Park Service policy
and park management.
Regulatory Flexibility Act
The Department of the Interior certifies that this rulemaking will
not have a significant economic effect on a substantial number of small
entities under the Regulatory Flexibility Act (5 U.S.C. 601 et seq.).
This certification is based on a report entitled ``Economic Analysis of
Management Alternatives for Personal Watercraft in Curecanti National
Recreation Area'' (MACTEC Engineering, July 2003). This document may be
viewed on the park's Web site at: https://www.nps.gov/cure/webvc/pwc_
use.htm.
Small Business Regulatory Enforcement Fairness Act (SBREFA)
This rule is not a major rule under 5 U.S.C. 804(2), the Small
Business Regulatory Enforcement Fairness Act. This final rule:
a. Does not have an annual effect on the economy of $100 million or
more.
b. Will not cause a major increase in costs or prices for
consumers, individual industries, Federal, State, or local government
agencies, or geographic regions.
c. Does not have significant adverse effects on competition,
employment, investment, productivity, innovation, or the ability of
U.S.-based enterprises to compete with foreign-based enterprises.
Unfunded Mandates Reform Act
This rule does not impose an unfunded mandate on State, local, or
tribal governments or the private sector of more than $100 million per
year. The rule does not have a significant or unique effect on State,
local or tribal governments or the private sector. This rule is an
agency specific rule and does not impose any other requirements on
other agencies, governments, or the private sector.
Takings (Executive Order 12630)
In accordance with Executive Order 12630, the rule does not have
significant takings implications. A taking implication assessment is
not required. No taking of personal property will occur as a result of
this rule.
Federalism (Executive Order 13132)
In accordance with Executive Order 13132, the rule does not have
sufficient federalism implications to warrant the preparation of a
Federalism Assessment. This final rule only affects use of NPS
administered lands and waters. It has no outside effects on other areas
by allowing PWC use in specific areas of the park.
Civil Justice Reform (Executive Order 12988)
In accordance with Executive Order 12988, the Office of the
Solicitor has determined that this rule does not unduly burden the
judicial system and meets the requirements of sections 3(a) and 3(b)(2)
of the Order.
Paperwork Reduction Act
This regulation does not require an information collection from 10
or more parties and a submission under the Paperwork Reduction Act is
not requried. An OMB Form 83-I is not required.
National Environmental Policy Act.
As a companion document to the NPRM, NPS issued the Personal
Watercraft Use Environmental Assessment for Curecanti National
Recreation Area. The Environmental Assessment (EA) was open for public
review and comment from June 11, 2003 until July 13, 2003. A Finding of
No Significant Impact (FONSI) was approved on June 16, 2006. These
documents are available at https://www.nps.gov/cure/webvc/pwc_use.htm,
or copies can be obtained directly from the park.
Government-to-Government Relationship With Tribes
In accordance with the President's memorandum of April 29, 1994,
``Government to Government Relations with Native American Tribal
Governments'' (59 FR 22951) and 512 DM 2, we have evaluated potential
effects on Federally recognized Indian tribes and have determined that
there are no potential effects.
Administrative Procedure Act
This rule allows use of PWC in Curecanti National Recreation Area
under specified conditions. Because current regulations do not allow
use of PWC at all, this rule relieves a restriction on the public. For
this reason, and because NPS wishes to allow the public to take
advantage of the new rules as soon as possible, this final rule is
effective upon publication in the Federal Register, as allowed by the
[[Page 55119]]
Administrative Procedure Act at 5 U.S.C. 553(d)(1).
The proposed rule was published in the Federal Register (71 FR
13792) on March 17, 2006, with a 60-day period for notice and comment
consistent with the requirements of 5 U.S.C. 553(b).
List of Subjects in 36 CFR Part 7
National Parks, Reporting and recordkeeping requirements.
0
In consideration of the foregoing, the National Park Service amends 36
CFR part 7 as follows:
PART 7--SPECIAL REGULATIONS, AREAS OF THE NATIONAL PARK SYSTEM
0
1. The authority for part 7 continues to read as follows:
Authority: 16 U.S.C. 1, 3, 9a, 460(q), 462(k); Sec. 7.96 also
issued under D.C. Code 8-137(1981) and D.C. Code 40-721 (1981).
0
2. Add new paragraph (d) to Sec. 7.51 to read as follows:
Sec. 7.51 Curecanti Recreation Area.
* * * * *
(d) Personal Watercraft (PWC). PWC may operate within Curecanti
National Recreation Area in the following designated areas and under
the following conditions:
(1) PWC may operate and land on Blue Mesa Reservoir between Beaver
Creek and Blue Mesa dam, except that PWC may not operate in the buoyed
barricaded section in the vicinity of the dam.
(2) PWC must operate at ``flat wake'' speeds within Blue Mesa
Reservoir in the following areas upstream of designated buoys:
(i) Soap Creek arm at approximate longitude 107[deg]8'9'' N
latitude 38[deg]30'16'' W.
(ii) West Elk arm at approximate longitude 107[deg]16'45'' N
latitude 38[deg]29'43'' W.
(iii) Cebolla arm at approximate longitude 107[deg]12'16'' N
latitude 38[deg]27'37'' W.
(iv) Lake Fork arm at approximate longitude 107[deg]18'19'' N
latitude 38[deg]27'2'' W.
(3) PWC must operate at ``flat wake'' speeds in the following
areas:
(i) Within 100' of shoreline inside Dry Creek cove.
(ii) Within 500' of shoreline along old highway 50 and Bay of
Chickens.
(iii) Within the buoyed area around Elk Creek and Lake Fork
marinas.
(iv) Within the buoyed area at Iola, Stevens Creek, and Ponderosa
boat launch.
(v) From Lake city bridge east to Beaver Creek.
(vi) Within 100' of shoreline adjacent to Stevens Creek campground.
(4) PWC may only be launched from designated boat launch sites.
(5) The Superintendent may temporarily limit, restrict or terminate
access to the areas designated for PWC use after taking into
consideration public health and safety, natural and cultural resource
protection, and other management activities and objectives.
David M. Verhey,
Acting Assistant Secretary for Fish and Wildlife and Parks.
[FR Doc. 06-7846 Filed 9-20-06; 8:45 am]
BILLING CODE 4312-52-P