Standard Time Zone Boundary in Southwest Indiana, 39593-39604 [07-3516]
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Federal Register / Vol. 72, No. 138 / Thursday, July 19, 2007 / Proposed Rules
an EIRP of ¥10 dBm or, alternatively,
a power density of 90 pW/cm2 at a
distance of 3 meters. If a power density
measurement is performed and 3 meters
is not within the far field, the
measurements shall be performed at
whatever greater distance is necessary to
result in the measurement being in the
far field and the results shall be
extrapolated to a distance of 3 meters as
specified in section 15.31(f)(1) of this
part.
*
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*
(e) Except as specified below, the total
peak transmitter output power shall not
exceed 500 mW. Depending on the gain
of the antenna, it may be necessary to
operate the intentional radiator using a
lower peak transmitter output power in
order to comply with the power density
limits or EIRP limits specified in
paragraph (b) of this section.
*
*
*
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[FR Doc. E7–13832 Filed 7–18–07; 8:45 am]
BILLING CODE 6712–01–P
DEPARTMENT OF TRANSPORTATION
Office of the Secretary
49 CFR Part 71
[OST Docket No. 2007–28746]
RIN 2105–AD71
Standard Time Zone Boundary in
Southwest Indiana
Office of the Secretary (OST),
the Department of Transportation
(DOT).
ACTION: Notice of proposed rulemaking.
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AGENCY:
SUMMARY: DOT proposes to relocate the
time zone boundary in Indiana to move
Knox, Daviess, Martin, Pike, and Dubois
Counties from the Central Time Zone to
the Eastern Time Zone. This action is
taken at the request of the Boards of
Commissioners of each of the counties.
DOT requests comment on whether this
change would serve the convenience of
commerce, the statutory standard for a
time zone change and whether the time
zone boundary should be changed for
other contiguous counties in
southwestern Indiana. Persons
supporting or opposing the change
should not assume that the change will
be made merely because DOT is making
the proposal. The final rule will be
based on all of the information received
during the entire rulemaking proceeding
and whether the statutory standard has
been met.
DATES: Comments should be received by
August 20, 2007 to be assured of
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consideration. Comments received after
that date will be considered to the
extent practicable. If the time zone
boundary is changed as a result of this
rulemaking, the effective date would be
November 4, 2007.
ADDRESSES: You may submit comments
by any of the following methods:
• Web site: https://dms.dot.gov.
Follow the instructions for submitting
comments on the DOT electronic docket
site.
• Fax: 1–202–493–2251.
• Mail: Docket Management Facility;
U.S. Department of Transportation, 1200
New Jersey Avenue, SE., Room W12–
140, Washington, DC 20590–0001.
• Hand Delivery: Room W12–140 on
the plaza level of the U.S. Department
of Transportation, 1200 New Jersey
Avenue, SE., Washington, DC, between
9 a.m. and 5 p.m., Monday through
Friday, except Federal holidays.
• Federal eRulemaking Portal: Go to
https://www.regulations.gov. Follow the
online instructions for submitting
comments.
General Instructions: All submissions
must include the agency name and
docket number (OST Docket Number
2007–28746) or Regulatory
Identification Number (RIN 2105–AD71)
for this rulemaking. Note that all
comments received will be posted
without change (including any personal
information provided) to https://
dms.dot.gov. Please refer to the Privacy
Act heading under Regulatory Notices.
Docket: For access to the docket to
read background documents or
comments received, go to https://
dms.dot.gov at any time or to Room
W12–140 on the plaza level of the U.S.
Department of Transportation, 1200
New Jersey Avenue, SE., Washington,
DC, between 9 a.m. and 5 p.m., Monday
through Friday, except Federal holidays.
FOR FURTHER INFORMATION CONTACT:
Judith S. Kaleta, Office of the General
Counsel, U.S. Department of
Transportation, 1200 New Jersey
Avenue, SE., Washington, DC 20590,
indianatime@dot.gov, (202) 493–0992.
SUPPLEMENTARY INFORMATION:
Current Indiana Time Observance
Indiana is divided into 92 counties.
Under Federal law, 75 counties are in
the Eastern Time Zone and 17 are in the
Central Time Zone. There are six
Central Time Zone counties in the
northwest (Lake, Porter, La Porte,
Starke, Newton, and Jasper) and eleven
in the southwest (Knox, Daviess, Martin,
Gibson, Pike, Dubois, Posey,
Vanderburgh, Warrick, Spencer, and
Perry). Neighboring states differ as to
whether they observe Eastern or Central
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Time. Illinois and western Kentucky
observe Central Time, while eastern
Kentucky, Ohio, and the portion of
Michigan adjoining Indiana observe
Eastern Time.
Federal law provides that an
individual State can decide whether or
not to observe daylight saving time. In
2005, the Indiana General Assembly
adopted legislation (Pub. L. 243–005 or
the Indiana Act) that provides that the
entire State of Indiana would observe
daylight saving time beginning in 2006.
In addition, the Indiana Act addressed
the issue of changing the Eastern and
Central Time Zone boundaries.
In January 2006 (71 FR 3228) and
February 2007 (72 FR 6170), DOT
completed rulemaking proceedings
establishing new time zone boundaries
that resulted in the current time zone
observance. Knox, Daviess, Martin, Pike,
and Dubois Counties (the Petitioning
Counties), which were moved to the
Central Time Zone in January 2006,
have now filed a Joint Petition
requesting a time zone change back to
the Eastern Time Zone.
Statutory Requirements
Under the Standard Time Act of 1918,
as amended by the Uniform Time Act of
1966 (15 U.S.C. 260–64), the Secretary
of Transportation has authority to issue
regulations modifying the boundaries
between time zones in the United States
in order to move an area from one time
zone to another. The standard to modify
a boundary contained in the statute for
such decisions is ‘‘regard for the
convenience of commerce and the
existing junction points and division
points of common carriers engaged in
interstate or foreign commerce.’’ 15
U.S.C. 261.
DOT Procedures To Change a Time
Zone Boundary
DOT has typically used a set of
procedures to address time zone issues.
Under these procedures, DOT will
generally begin a rulemaking proceeding
to change a time zone boundary if the
highest elected officials in the area
submit a petition requesting a time zone
change and provide adequate data
supporting the proposed change. We ask
that the petition include, or be
accompanied by, detailed information
supporting the requesting party’s
contention that the requested change
would serve the convenience of
commerce. The principle for deciding
whether to change a time zone is
defined very broadly to include
consideration of all impacts of such a
change on a community. We also ask
that the supporting documentation
address, at a minimum, each of the
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following questions in as much detail as
possible:
1. From where do businesses in the
community get their supplies, and to
where do they ship their goods or
products?
2. From where does the community
receive television and radio broadcasts?
3. Where are the newspapers
published that serve the community?
4. From where does the community
get its bus and passenger rail services;
if there is no scheduled bus or passenger
rail service in the community, to where
must residents go to obtain these
services?
5. Where is the nearest airport; if it is
a local service airport, to what major
airport does it carry passengers?
6. What percentage of residents of the
community work outside the
community; where do these residents
work?
7. What are the major elements of the
community’s economy; is the
community’s economy improving or
declining; what Federal, State, or local
plans, if any, are there for economic
development in the community?
8. If residents leave the community
for schooling, recreation, health care, or
religious worship, what standard of time
is observed in the places where they go
for these purposes?
In addition, we consider any other
information that the county or local
officials believe to be relevant to the
proceeding. We consider the effect on
economic, cultural, social, and civic
activities, and how a change in time
zone would affect businesses,
communication, transportation, and
education.
2005–2006 Indiana Time Zone
Rulemaking Proceedings Involving the
Petitioning Counties
On August 17, 2005, DOT published
a notice in the Federal Register inviting
county and local officials in Indiana that
wished to change their current time
zone in response to the Indiana Act to
notify DOT of their request for a change
by September 16, 2005, and to provide
data in response to the questions
identified in the previous section on
DOT Procedures to Change a Time Zone
Boundary. DOT received 19 petitions
from counties asking to be changed from
the Eastern Time Zone to the Central
Time Zone, including the five
Petitioning Counties.
The Petitioning Counties are located
between Evansville and Indianapolis,
near the geographic center of North
America and the median center of the
U.S. population. The Petitioning
Counties are bordered to the north and
east by counties in Indiana that are
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currently located in the Eastern Time
Zone. The Petitioning Counties are
bordered to the west by Illinois and to
the south by counties in Indiana that are
currently located in the Central Time
Zone. According to data from STATS
Indiana (an information service of the
Indiana Business Research Center at
Indiana University’s Kelly School of
Business), the Petitioning Counties had
a total population of 132,842 in 2005.
The Petitioning Counties were five of
the eight counties that moved from the
Eastern Time Zone to the Central Time
Zone under DOT’s January 2006 final
rule.
In the original 2005 rulemaking
proceeding, the Petitioning Counties
submitted their petitions individually.
In their 2005 petitions, they enumerated
reasons for a move to the Central Time
Zone based in large part on comments
made during open, local public
meetings in the respective counties. The
Daviess County petition emphasized
Evansville (in the Central Time Zone) as
the place with the closest airport and
the place where its residents shop,
conduct business, and receive television
broadcasts, with ‘‘numerous citizens’’
employed in Gibson County (in the
Central Time Zone). The Dubois County
petition pointed out that while many
services are obtained within-county, the
decision to move to the Central Time
Zone was supported by ‘‘60 to 70% of
the general public, by representatives of
three local school districts, and by
approximately 50% of local business
and industry.’’ The Knox County
petition stated that many of its residents
work in the Central Time Zone, creating
‘‘time zone issues during substantial
portions of the year’’ and those residents
who leave for schooling, recreation,
healthcare and religious worship go to
areas in the Central Time Zone. The
Martin County petition stated that
‘‘inclusion in the Central Time Zone is
preferred by a majority of those
responding,’’ that 40% of its residents
work outside of the County (mainly in
the Central Time Zone), and that the
primary providers of goods and
recipients of products to and from the
County are already located in or are
petitioning to be in the Central Time
Zone. The Pike County petition cited
television and radio broadcasting, the
interests of its mining industry and an
increasing number of employees
commuting to counties in the Central
Time Zone.
Based on these petitions and
comments that were submitted to the
docket and made at the public hearings,
as well as an analysis of Indiana
economic, workforce, transportation,
and education regions as well as media/
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commerce data, DOT concluded that the
Petitioning Counties have stronger ties
to each other and to other counties to
their south in the Central Time Zone
than to the counties on their northern
and eastern borders in the Eastern Time
Zone. DOT, therefore, granted the
petitions and changed the time zone
boundaries for the Petitioning Counties
from the Eastern Time Zone to the
Central Time Zone. The change to the
Central Time Zone became effective on
April 2, 2006.
Only a few months later, on August
18, 2006, the Boards of Commissioners
of the Petitioning Counties jointly
submitted a petition (Joint Petition) in
which they enumerated the reasons that
the Petitioning Counties, as a unit,
should be changed back to the Eastern
Time Zone. As compared to the original
petitions from the Petitioning Counties,
the Joint Petition includes updated
answers to the questions DOT considers
in making time zone determinations as
well as exhibits in support of these
answers. The Joint Petition provides
more detailed responses to DOT’s
questions related to community imports
and exports, television and radio
broadcasts, newspapers, bus and
passenger rail services, airports/airline
services, worker commuting patterns,
the community’s economy/economic
development, and schooling, recreation,
health care, or religious worship.
The Joint Petition requests a change
that is contrary to the Petitioning
Counties’ positions in their original
individual petitions. The Joint Petition
claims the original petitions ‘‘were
incomplete and conclusory, and the
information they contained was limited
and largely based on opinion and not
backed by substantial and verifiable
evidence.’’ The Joint Petition states that,
since the January 2006 ruling, there has
been ‘‘a groundswell of support for
returning to the Eastern Time Zone,
which has been a product of residents
and businesses having been
inconvenienced in ways that they could
not have fully anticipated until the
switch occurred.’’ Accordingly, the Joint
Petition claims ‘‘to contain more
extensive and thorough research on this
issue.’’
The Joint Petition was accompanied
by letters from Indiana Governor
Mitchell Daniels, the Indiana Economic
Development Corporation, and the
Indiana Department of Workforce
Development. The Governor wrote in
support of the Joint Petition, stating that
putting more of the State in the same
time zone will provide clarity on the
time questions and advance economic
growth. The two organizations
addressed regional connectivity. They
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noted that they established their
respective State regions based on their
ability to deliver services. They did not
establish regions based on time zones or
‘‘convenience of commerce.’’
After reviewing the Joint Petition and
its accompanying exhibits and letters of
support, on September 28, 2006, DOT
sent a letter to the Petitioning Counties
requesting that certain procedural
concerns be addressed. Specifically,
DOT requested the submission of
amended signature pages for each
county, certifying that the request was
the result of official action by the Board
of County Commissioners, the vote of
the Board members concerning the
submission of the Joint Petition, the date
of the vote, and the signature for each
Board member. The Petitioning
Counties complied with this request on
November 13, 2006 (First Supplemental
Response).
On November 14, 2006, the DOT sent
a second letter seeking clarification and
additional information from the
Petitioning Counties before making any
determination on whether to propose a
time zone boundary change for the
Petitioning Counties. In turn, on
December 6, 2006, the Petitioning
Counties submitted to DOT a
supplemental response (Second
Supplemental Response) and appendix
to DOT’s request for this additional
substantive information.
Upon reviewing the Second
Supplemental Response, DOT
determined that while the Petitioning
Counties provided answers to most of
DOT’s inquiries, in some instances gaps
remained, and there were
inconsistencies in the responses.
Information provided by the Petitioning
Counties needed to be corrected or
clarified. On April 2, 2007, therefore,
DOT sent another letter to the
Petitioning Counties requesting
additional information and verification
of the data submitted. This request was
necessary in light of the lack of
complete and accurate information
previously provided to DOT by the
Petitioning Counties. DOT noted,
‘‘While the clarification of particular
facts may not be dispositive to DOT’s
determination that a time zone change
would serve the convenience of
commerce standard, we want to ensure
the integrity of the data we rely upon.’’
On May 29, 2007, the Petitioning
Counties responded by letter (Third
Supplemental Response), accompanied
by numerous exhibits.
Comments to the Docket
There are currently nearly 300 entries
to the docket addressing the request of
the Petitioning Counties to be changed
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back to the Eastern Time Zone and the
information submitted by the
Petitioning Counties. These comments
express the preferences of the residents
of the Petitioning Counties and the
views of businesses and individuals on
how a particular time zone has
impacted or would impact the
Petitioning Counties. The focus of this
Notice of Proposed Rulemaking is on
the Joint Petition and Supplemental
Responses. Before making a final
determination on whether to change the
time zone boundaries for the Petitioning
Counties, we will carefully review the
Joint Petition and Supplemental
Responses in conjunction with any
additional comments received and data
gathered during the rulemaking process.
DOT Determination
Based on the Joint Petition and the
three Supplemental Responses, DOT
finds that the Petitioning Counties have
provided enough information to justify
proposing to change their boundary
from the Central Time Zone to the
Eastern Time Zone. As set forth below,
the Petitioning Counties addressed all of
the factors that we consider in these
proceedings and overall made a
reasonable case that changing back the
Petitioning Counties to the Eastern Time
Zone would serve ‘‘the convenience of
commerce.’’
Community Imports and Exports
The 2005 individual petitions from
each Petitioning County to move from
the Eastern Time Zone to the Central
Time Zone did not include very detailed
analyses of community imports and
exports. On the other hand, in the Joint
Petition and the Second and Third
Supplemental Responses, the
Petitioning Counties provide additional
evidence in support of the contention
that, when considered as a single unit,
the balance of the evidence supports
placement in the Eastern Time Zone.
The original Daviess County petition
stated that the largest metropolitan area
where its residents transact business is
Evansville. In contrast, the Joint Petition
quotes the Executive Director of the
Daviess County Economic Development
Corporation as stating that businesses in
Daviess County ‘‘uniformly desire to be
on Eastern Time’’ and that the top
businesses and industries there ship
most of their products into the Eastern
Time Zone. The original Dubois County
petition stated that its businesses
‘‘acquire and ship supplies and
products nationally and internationally,
and probably as to purchase and sales
no time zone would have priority over
any other zone.’’ On the other hand,
citing the Directors of the Jasper and
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Huntingburg Chambers of Commerce,
the Joint Petition states that the major
employers in Dubois County ship their
products to major metropolitan areas up
and down the East Coast and that ‘‘the
dollar volume of commerce in the
county is driven by customers and
suppliers in the Eastern Time Zone.’’
The original Knox County petition
stated that its businesses ‘‘obtain
supplies and ship goods and products
from and to locations in various time
zones’’ and to ‘‘all parts of the United
States and the Northern Hemisphere.’’
The Joint Petition makes a similar
assertion, stating specifically that
Futaba Indiana of America
manufactures door frames for Toyota’s
Princeton, Indiana plant in the Central
Time Zone and also ships products to
Toyota’s Georgetown, Indiana plant in
the Eastern Time Zone. The Joint
Petition adds that another large
employer in Dubois County, Gemtron/
Schott, ships products all over the
United States. The original Martin
County petition declared that the
primary providers and recipients of its
products were counties petitioning for
placement or currently in the Central
Time Zone. On the other hand, the Joint
Petition refers to a business manager for
EG&G Crane Operations located at the
Naval Surface Warfare Center Crane
Division (NSWC Crane) and identifies
NSWC Crane as the largest employer in
the County, and claims that although
NSWC Crane ships its products
throughout the United States, its two
largest customers are located in the
Eastern Time Zone. (We note that this
information comes from the Joint
Petition, not directly from NSWC Crane
or its officials.) Finally, while the
original Pike County petition made no
mention of its community imports and
exports, it noted that Pike County has a
significant coal mining industry. The
Joint Petition reiterates the importance
of the coal mining industry in Pike
County and that the bulk of coal mined
in the County is used by two of the
County’s largest employers (Indiana
Power & Light and Hoosier Energy),
which maintain headquarters and
generating plants in the Eastern Time
Zone.
In addition to focusing on the imports
and exports in each of the Petitioning
Counties, the Joint Petition takes a
broader perspective. Citing statistics
compiled by the Indiana Chamber of
Commerce (Chamber), it notes that over
one-third of all Indiana’s exports are
sent to the Eastern Time Zone, whereas
only one-fourth of all Indiana’s exports
had a final destination in the Central
Time Zone. The Chamber’s statistics
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also indicate that over one-half of
Indiana’s imports come from a ‘‘point of
origin’’ in the Eastern Time Zone,
whereas less than one-half of all Indiana
imports had a point of origin in the
Central Time Zone. However, DOT
questioned the Petitioning Counties on
whether these facts support a move to
the Eastern Time Zone, noting that these
statistics also reveal that two-thirds of
products are exported to locations other
than the Eastern Time Zone and that
just less than one-half come from a
point of origin other than the Eastern
Time Zone. In their Second
Supplemental Response, the Petitioning
Counties nonetheless contend that,
although the total import/export data
may not support a change to the Eastern
Time Zone, they wanted to ensure that
they addressed all the criteria
considered by DOT and asserted that the
balance of the evidence presented in the
Joint Petition supports a move from the
Central Time Zone to the Eastern Time
Zone.
The Joint Petition also points out that
‘‘if the Petitioning Counties are put on
Eastern Time, all of the nearest WalMarts for residents in the Petitioning
Counties would be on Eastern Time.’’
The Joint Petition claims that, although
the majority of these stores are open 24
hours a day, the Jasper location in
Dubois closes during the night and has
a different schedule than its distribution
center (located in Jackson County, in the
Eastern Time Zone), thereby adversely
affecting its shipping schedule. The
Joint Petition contends this is important
for the counties because many
‘‘[i]ndividuals and small businesses
* * * depend on Wal-Mart Stores and
Supercenters for their goods and
supplies.’’ Thus, the Joint Petition
concludes that the convenience of
commerce would be best served if all
stores and distribution centers were
located in the same zone, in order to
reduce confusion for just-in-time
delivery systems and to accommodate
work schedules.
In the Third Supplemental Response,
the Petitioning Counties clarify that the
Jasper Wal-Mart is open 24 hours a day.
Nevertheless, the Third Supplemental
Response notes that, because the
pharmacy and automotive department
operate under limited hours, it might
better serve the convenience of
commerce if the store was located in the
Eastern Time Zone.
The Joint Petition also states that
product manufacturers (the major
employers in Dubois County) ship their
products mainly to ‘‘major metropolitan
areas up and down the East Coast,’’
while the ‘‘majority of suppliers are
likewise located in, or are in areas
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petitioning to be in, the Eastern Time
Zone.’’ In fact, ‘‘over 50% of the dollar
volume of commerce is driven by
customers in the Eastern Time Zone’’ for
those companies. In response to DOT’s
inquiry regarding the fact that Dubois
County has historically been on a
different time than its suppliers and
customers during seven months of the
year (before Indiana began to observe
daylight saving time in 2006), the
Second Supplemental Response notes
that the convenience of commerce
would nonetheless be even better served
if businesses could communicate in
‘‘real time’’ (communicating at the same
hour in both places) with their
customers during the course of an entire
year. They claim that this move would
shift resources away from coping
mechanisms and toward more
productive business activities.
In the Second Supplemental
Response, the Petitioning Counties
address DOT’s questions about
commerce in Knox County arising from
the Joint Petition. The Second
Supplemental Response claims that a
move to the Eastern Time Zone would
put Futaba Indiana of America (FIA),
identified as a major Knox County
automobile parts producer, in the same
time zone as its two important
customers in the Eastern Time Zone.
Although FIA also ships its products to
locations in the Central Time Zone
(including Chicago and Texas), the
Second Supplemental Response asserts
that harmonizing the manufacturing
plant with at least two of its customers
located in the Eastern Time Zone would
positively advance the convenience of
commerce. DOT requested support for
these assertions and, in the Third
Supplemental Response, the Petitioning
Counties cite to an FIA receptionist,
newspaper articles, and the Director of
the Knox County Development
Corporation in support of their position
on this issue.
While DOT remains unconvinced by
the assertions of the Petitioning
Counties as they relate to FIA and the
Knox County economy, the Petitioning
Counties have submitted sufficient
information to show that many
businesses and industries located in the
Petitioning Counties have substantial
business connections in the Eastern
Time Zone that would justify proposing
to move the time zone boundary for the
Petitioning Counties to the Eastern Time
Zone. In addition, the Petitioning
Counties have submitted sufficient
information to justify proposing to move
the time zone boundary based on their
claims that the convenience of
commerce would better be served if
businesses did not have to adjust for
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time zone differences. DOT solicits
further information concerning
community imports and exports that
would aid in determining whether a
change in the time zone for the
Petitioning Counties would serve the
convenience of commerce.
Television and Radio Broadcasts
With regard to television and radio
broadcasts, the original petitions
submitted by each Petitioning County
made general statements about
transmissions that each Petitioning
County receives. The original Daviess
County petition stated that it receives its
television broadcasts from both
Evansville and Terre Haute. The original
Dubois County petition stated that it
receives radio transmissions from
within the county and television
broadcasts from Evansville, Louisville,
Terre Haute, and Indianapolis. The
original Knox County petition pointed
out that it is the second-largest
television audience for Terre Haute and
the fourth-largest for Evansville. The
original Martin County petition noted
that it is served by television stations
located in Evansville in Vanderburgh
County and Vincennes in Knox County.
Finally, the original Pike County
petition stated that the majority of its
broadcasts originate out of Evansville.
The Joint Petition and Second and
Third Supplemental Responses provide
more detailed information regarding
television and radio broadcasting in the
Petitioning Counties. The Joint Petition
states that the majority of the Petitioning
Counties (Knox, Daviess, and Martin)
are in the Terre Haute Designated
Market Area (DMA), in the Eastern Time
Zone. The remaining Petitioning
Counties (Pike and Dubois) are part of
the Evansville DMA, in the Central
Time Zone.
The Joint Petition claims that every
radio station with the strongest signal in
the Petitioning Counties is currently
located, or petitioning to be, in the
Eastern Time Zone. In support of this
statement, the Joint Petition includes
two charts that list the stations (both FM
and AM) with the three strongest signals
that reach each of the five petitioning
counties. These charts also indicate the
city and county where the station is
currently located, as well as the time
zone of the station’s location if the
petition were granted. DOT questioned
the decision to include only the signals
with the three strongest frequencies,
whether these were the strongest
frequencies, and the choice to include
certain frequencies themselves in the
chart.
In the Second Supplemental
Response, the Petitioning Counties
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again claim that the chart in the Joint
Petition ‘‘demonstrates that the
Petitioning Counties are oriented toward
the Eastern Time Zone.’’ In order to
supplement that claim, the Petitioning
Counties submitted a second set of
charts in Appendix C to the Second
Supplemental Response (not ‘‘Appendix
B’’ as referenced in the Second
Supplemental Response). Rather than
including the three strongest signals
available in each of the respective
counties, these charts provide more
specific information, including all radio
stations (both FM and AM) and the
major city of the listening audience of
each petitioning county: Washington in
Davies, Jasper in Dubois, Vincennes in
Knox, Loogootee in Martin, and
Petersburg in Pike. Based on
classifications by https://www.radiolocator.com, the chart arranges the
stations in order of strength of signal to
the listening area, with the strongest
signals listed first. The chart also
includes the current time zone of the
radio signal’s origin and the time zone
if the petition were granted. The only
difference between the chart in the Joint
Petition and the chart in the Second
Supplemental Response is the differing
time zone origin. Stations (both FM and
AM) that originated in the Petitioning
Counties would move from the Central
Time Zone to the Eastern Time Zone.
With such a uniform shift, it is not clear
that a change in time zone would serve
the convenience of commerce.
Furthermore, DOT questions whether
signal strength is sufficient evidence to
support the conclusion that the
particular time zone matters for radio
broadcasting. The Petitioning Counties
have not shown how having a strong
signal translates into an increased
audience nor have they accounted for
the type of radio programming that is
being offered.
With regard to television
broadcasting, the Joint Petition includes
a chart listing the TV stations for the
Petitioning Counties, the city and
county where each station is located,
and the time zone of the station if the
petition were granted. In addition, the
Joint Petition indicates that the National
Weather Service Center serving four of
the Petitioning Counties (Daviess, Knox,
Martin, and Dubois) is in the Eastern
Time Zone, while only one county
(Pike) has the National Weather Service
Center in the Central Time Zone. The
Petitioning Counties claim that because
‘‘most of the radio and television
stations that cover local news and
weather in the Petitioning Counties is
either located within the Petitioning
Counties themselves or are in counties
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in the Eastern Time Zone, the
convenience of commerce is best served
by moving the Petitioning Counties to
Eastern Time.’’
Because the Joint Petition’s claims
that ‘‘these counties are served by
various cable systems and a variety of
satellite systems,’’ DOT requested that
the Petitioning Counties list the
channels offered by any cable providers
in each county that are locally generated
and the location and time zone of those
broadcasts. In the Second Supplemental
Response, the Petitioning Counties
provide a chart indicating the
Designated Market Area and the
significantly viewed channels for each
County with the city and county where
the station is located as well as the
current time zone and the projected
time zone if the Joint Petition were
granted. The only significant change in
time zone involves stations located
within the Petitioning Counties
themselves, which move from the
Central Time Zone to the Eastern Time
Zone.
In further support of a change to the
Eastern Time Zone, in the Second
Supplemental Response, the Petitioning
Counties state that, under the status
quo, ‘‘viewers in the Petitioning
Counties may miss their news because
it comes on at 5 a.m. in the morning and
at 4 p.m. in the evening.’’ On the other
hand, if the Joint Petition were granted,
the Petitioning Counties simply argue
that ‘‘the majority of viewers in the
Petitioning Counties who work 8 a.m. to
5 p.m. (and currently receive their
programming from a station operating
on Eastern Time) will receive their local
news before going to work in the
morning and after they return from work
in the evening.’’ Seeking clarification of
this argument and additional
justification, DOT wrote to the Petition
Counties and noted that each of the
Petitioning Counties receives a signal
that originates in the Central Time Zone.
In the Third Supplemental Response,
the Petitioning Counties assert,
‘‘Convenience of commerce is served by
providing viewers with better access to
the market designated to provide them
coverage’’ and refer to significantly
viewed stations, which are the most
viewed stations. The significantly
reviewed stations in the three
Petitioning Counties that are in the
Terre Haute Designated Market Area are
in the Eastern Time Zone.
The Petitioning Counties have not
provided sufficient information
concerning the television/radio
broadcasting aspect of the convenience
for commerce standard to justify
proposing to change the time zone
boundary. DOT questions whether radio
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signal strength is enough evidence to
support proposing a change in time
zone. In addition, the majority of
television signals become aligned with
the Eastern Time Zone because the
Counties have petitioned to move as a
single unit. DOT seeks comments on the
information submitted by the
Petitioning Counties and requests any
additional information on television and
radio broadcasting, including audience
size in the Petitioning Counties, that
would aid in determining whether a
time zone change for these Counties
would serve the convenience of
commerce.
Newspapers
Only three out of the five original
individual petitions, Dubois, Knox, and
Martin Counties, discussed newspaper
distribution numbers within their
counties. These three petitions
emphasized that the primary
newspapers delivered are local daily
newspapers. Nevertheless, the original
Dubois County petition acknowledged
receipt of newspapers from Evansville
in the Central Time Zone and Louisville
in the Eastern Time Zone. The original
Knox County petition also noted that
there is a ‘‘substantial circulation’’ of
the Evansville Courier, and that
residents also receive newspapers from
Terre Haute and Indianapolis, both in
the Eastern Time Zone.
The Joint Petition expounds on the
idea that the Petitioning Counties are
largely served by their local
newspapers. The Joint Petition states
that residents of the Petitioning
Counties rely on other newspapers
published in or adjacent to their own
counties, ‘‘all of which are already in or
are petitioning to be in the Eastern Time
Zone’’ and thereby ‘‘likely serve the
advertising needs of local businesses.’’
The Joint Petition acknowledges that the
Petitioning Counties are served by both
the Indianapolis Star (with a total
circulation of 4,251) and the Evansville
Courier & Press (with a total circulation
of 12,740). However, the Joint Petition
claims that these papers focus almost
exclusively on national news and the
local news particular to their cities,
Indianapolis and Evansville. The
Second Supplemental Response
supports this claim by stating that
‘‘[t]here is very little if any advertising
by companies doing business in the
Petitioning Counties.’’ The Second
Supplemental Response also notes that
the ‘‘vast majority’’ of businesses
advertising in the Courier and Press are
located in Evansville or Henderson,
Kentucky (both in the Central Time
Zone) to support the claim that those
newspapers primarily serve the
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communities in the immediate vicinity
of the city. (The Second Supplemental
Response also corrected the Joint
Petition and acknowledged that the
Courier and Press is distributed in
Martin County.)
The Joint Petition includes a chart
that lists the names and circulation
numbers of the local newspapers
serving each of the Petitioning Counties,
as well as the County and the time zone
of publication if the petition is granted.
For example, for Daviess County, the
chart indicates that the Washington
Times-Herald, with a weekly circulation
of 6,459, is published in Daviess, which
will be moved to the Eastern Time Zone
if the petition is granted. In addition,
the Washington Extra, another local
newspaper identified in the chart, is
published in Daviess County and (like
the Washington Times-Herald) has a
significantly higher weekly circulation
in Daviess County than either the
Indianapolis Star (496) or the Evansville
Courier & Press (92). In total, all four
local newspapers serving Daviess
County are published within the
Petitioning Counties. This pattern is
consistent with the circulation patterns
in the other Petitioning Counties as
well, where the total circulation for the
main local newspaper published in each
county far outweighs the circulation for
either the Indianapolis Star or the
Evansville Courier & Press.
There are only two local newspapers
shown in the chart that are published
outside of the Petitioning Counties: the
Paoli News Republican, which is
published in Orange and has a weekly
circulation of 400 in Dubois County;
and the Bedford Times-Mail, which is
published in Lawrence County and has
a negligible weekly circulation in both
Dubois and Martin Counties. Both of
these newspapers are published in the
Eastern Time Zone and would continue
to be published in the Eastern Time
Zone if the Joint Petition were granted.
The remaining local newspapers are all
published in one of the five Petitioning
Counties. According to the Joint Petition
and reiterated in the Second
Supplemental Response, these counties
are served by a number of papers
published locally, which ‘‘likely serve
the advertising needs of local
businesses.’’ The Second Supplemental
Response claims, ‘‘the lack of
advertising by companies located in the
Petitioning Counties suggests a lack of
connection to the Evansville area.’’
(Emphasis added.) The Second
Supplemental Response concludes that,
with regard to newspaper circulation,
‘‘[t]his factors in favor of treating the
Petitioning Counties as a unit and
moving them all to Eastern Time as a
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block.’’ Because the overwhelming
majority of local newspapers in
circulation within the Petitioning
Counties are currently on Central Time,
moving them as a ‘‘block’’ would simply
represent a universal shift of local
newspapers to Eastern Time if the
petition were granted.
In the Third Supplemental Response,
the Petitioning Counties responded to
DOT’s question on whether the
residents of the Petitioning Counties
might shop or use the services of
businesses that advertise in the
Indianapolis Star or the Courier and
Press. The Petitioning Counties
admitted that discussions with
individuals in the Petitioning Counties
‘‘yielded different responses.’’ There
were no overwhelming preferences for
either the Eastern or Central Time Zone
shops or businesses advertising in these
papers.
The Petitioning Counties have not
submitted sufficient information
concerning the newspaper aspect of the
convenience for commerce standard to
justify proposing to change the time
zone boundary based. DOT seeks
comments on the information submitted
by the Petitioning Counties and requests
any additional information on
newspaper circulation in the Petitioning
Counties that would aid in determining
whether a time zone change for these
Counties would serve the convenience
of commerce.
Bus and Passenger Rail Service
Only three out of the five original
individual petitions, from Dubois, Knox,
and Pike Counties, discussed bus and
rail service within their Counties. The
original Dubois County petition stated
that Dubois County is not served by
passenger bus or rail service; however,
such service is available out of
Louisville, Indianapolis or Evansville.
The original Knox County petition
stated that its citizens can obtain bus
service from Evansville and Terre
Haute, and that passenger rail service is
available in Effingham, Illinois and
Indianapolis. The original Pike County
petition stated that the closest major
passenger rail and bus service is
generally located in Evansville.
With regard to bus service, the Joint
Petition points out that three of the four
Greyhound bus stations that are closest
to the Petitioning Counties are on
Eastern Time. It states that these stations
are located in Indianapolis, Terre Haute,
and Louisville in the Eastern Time
Zone, and in Evansville in the Central
Time Zone. The Joint Petition also
claims that, although the Evansville
station is relatively close to many
residents of the Petitioning Counties, ‘‘it
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only offers transportation to western
and southern routes.’’ On the other
hand, the stations located in the Eastern
Time Zone offer much broader service
to the Petitioning Counties. For
example, the Terre Haute station offers
connections both to southwest
destinations and to Indianapolis, which
in turn provides service to all
destinations. In addition, the Louisville
station offers transportation to north,
northeast, and southern destinations.
Accordingly, the Joint Petition uses
these bus service routes as support to
change back to the Eastern Time Zone.
With regard to rail service, the Joint
Petition focuses on commercial rail
carriers. The Joint Petition points out
that, because most of the existing major
junction and division points for
common carriers are located in the
Eastern Time Zone, it would best serve
the convenience of commerce to place
all of the Petitioning Counties on
Eastern Time. Answering DOT’s inquiry
concerning the availability of passenger
rail service to its residents and how
changing to Eastern Time would impact
such services, the Second Supplemental
Response states that ‘‘[n]one of the
railroad companies that run through
southwest Indiana provides passenger
service in the area.’’ Moreover, it states
that Amtrak, the only passenger rail
company in Indiana, runs on
commercial lines only through northern
and central Indiana (in the Eastern Time
Zone), far from the Petitioning Counties.
As such, the Petitioning Counties assert
that ‘‘[p]assenger rail schedules are not
a factor here.’’
The Petitioning Counties have
submitted sufficient information based
on the bus service aspect of the
convenience of commerce standard to
justify proposing to change the time
zone boundary. The Petitioning
Counties have provided information on
the broader bus service available in
locations in the Eastern Time Zone.
According to the Petitioning Counties,
passenger rail service is not at issue.
DOT seeks comment on the information
submitted by the Petitioning Counties
and requests any additional information
on bus and rail services in the
Petitioning Counties that would aid in
determining whether a change in the
time zone for the Petitioning Counties
would serve the convenience of
commerce.
Airports/Airline Services
The original petitions for Daviess,
Knox and Pike Counties stated that the
closest airport providing passenger
service to their respective counties is
located in Evansville. The original
petition for Dubois County stated that
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the airport in the County serves
primarily private business planes and
lists Louisville, Evansville, and
Indianapolis as ‘‘major airports
providing service’’ to its residents. The
original petition for Martin County
noted that the nearest general airport is
in Vanderburgh County in the Central
Time Zone, and also noted that Martin
County residents are served by local
airports in Daviess and Dubois Counties.
The Joint Petition discusses the three
major airports that could potentially
serve residents of the Petitioning
Counties for commercial passenger
service: one in the Central Time Zone in
Evansville and two in the Eastern Time
Zone in Indianapolis and Louisville.
The Joint Petition acknowledges that the
Evansville Regional Airport is the
closest geographically for many
residents in some parts of the
Petitioning Counties. However, despite
this proximity, the Joint Petition claims
that, according to ‘‘travel agents who
serve residents in the Petitioning
Counties,’’ it is more expensive to fly
out of Evansville and that the Evansville
airport offers ‘‘very few direct
connections.’’ The Joint Petition also
states that Evansville offers direct flights
to only six destinations: Chicago
(O’Hare), Cincinnati, Atlanta, Memphis,
Detroit, and Dallas. In contrast, the Joint
Petition notes that the Indianapolis
International Airport in the Eastern
Time Zone services 34 destinations,
while the Louisville International
Airport, also in the Eastern Time Zone,
services 28 destinations. The Joint
Petition declares that ‘‘Indianapolis is
one of the top jumping-off points for air
travelers from the Petitioning Counties.’’
To support this claim, the Joint Petition
again relies on travel agents who serve
residents in the Petitioning Counties
and have reported that ‘‘70 to 75% of
their customers fly out of Indianapolis
or Louisville for reasons of cost or
convenience.’’ The Joint Petition does
not offer any specific information
regarding whether these are business or
leisure travelers, the destination of these
travelers, or whether the location, and
therefore, the relevant time zone of the
airport affected their choice. In addition,
the Joint Petition, citing information
obtained from an employee of NSWC
Crane, points out that 80% of the
employee travelers from Crane military
base (located in Martin County) use the
Indianapolis airport.
The Joint Petition also provides
detailed information regarding local
service airports that are situated within
or near the Petitioning Counties, and
states that such ‘‘airports provide
county-based business with direct air
travel access.’’ The Joint Petition
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maintains that nearly all of these
Indiana-based local airports would be in
the Eastern Time Zone if the Petition
were granted. However, the Second
Supplemental Response clarifies that,
although they are the ‘‘nearest airports’’
in terms of geographic location, none of
the local airports situated in the
Petitioning Counties provides
commercial passenger service.
The Joint Petition also notes that the
two closest hubs of the largest private
express package carriers serving the
Petitioning Counties, United Parcel
Service and Federal Express, are
situated in the Eastern Time Zone, in
Indianapolis and in Louisville, and that
air travel for cargo is thus oriented
toward counties that are already in the
Eastern Time Zone.
The Petitioning Counties have not
submitted sufficient information
concerning the airports/airline services
aspect of the convenience of commerce
standard to justify proposing to change
the time zone boundary. DOT seeks
comment on the information submitted
by the Petitioning Counties and requests
any additional information on airport
and airlines services in the Petitioning
Counties that would aid in determining
whether changing the time zone for the
Petitioning Counties would serve the
convenience of commerce.
Worker Commuting Patterns
The Joint Petition claims that the
majority of workers in the Petitioning
Counties live and work in their home
counties. For those who work outside of
their home counties, the Joint Petition
states, ‘‘Of those migrating to a
Petitioning County for work, the
majority come from locations in the
Eastern Time Zone. Of those leaving a
Petitioning County for work, the
majority go to locations in the Eastern
Time Zone.’’ The Joint Petition relies on
commuting patterns data from the
Indiana Department of Revenue. In the
Third Supplemental Response, the
Petitioning Counties explained that the
basis of their statement was their
consideration that the Petitioning
Counties were in the Eastern Time
Zone, ‘‘as Eastern Time is the
Petitioning Counties’ desired time
zone.’’ The Third Supplemental goes on
to say that the commuting patterns
demonstrate the strong connection
among the Petitioning Counties and
recognizes that the commuters do not
have a large impact on the overall
workforce in most of the Petitioning
Counties, with the exception of Martin
County where commuters make up
46.9% of the Martin County workforce.
The Petitioning Counties have not
submitted sufficient information
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concerning the worker commuting
patterns aspect of the convenience of
commerce standard to justify proposing
to change in the time zone boundary.
DOT seeks comment on the information
submitted by the Petitioning Counties
and requests any additional information
on worker commuting patterns in the
Petitioning Counties that would aid in
determining whether changing their
time zone boundaries.
The Community’s Economy/Economic
Development
While the original Daviess County
petition did not mention anything about
the elements of the Daviess County
economy, each of the other original
petitions discussed each County’s
individual economy and economic
development as one of the matters to
consider as part of the convenience of
commerce standard. The original Dubois
County petition stated that the principle
element of its economy is wood
furniture manufacturing, followed by
agriculture. The original Knox County
petition mentioned healthcare and
education as the major elements of its
economy. The original Pike County
petition stated that its economy is
largely dependent on the local mining
industry. The original Martin County
petition noted that the major elements
of its economy are ‘‘agriculture, timber,
and technology connected to’’ NSWC
Crane. In addition, the original Martin
petition mentioned that the local
economy is expected to improve with
the continued operation of NSWC
Crane, and that Martin County is
working along with Daviess and Greene
Counties to develop a technology park
adjacent to NSWC Crane.
The Joint Petition provides additional
information about the major elements of
each County’s economy, the state of the
economy, and economic development.
The Joint Petition states that
manufacturing and agriculture are two
of the leading industries in the local
economies of several of the Petitioning
Counties. Consequently, in order to
increase their competitive edge over
international competitors, Dubois
County seeks placement in the same
time zone as a significant number of its
companies’ suppliers and customers.
Dubois County employers have reported
that 60–90% of their business
relationships remain in the Eastern
Time Zone. Moreover, the Joint Petition
refers to the President of the Knox
County Development Corporation who
anticipates that manufacturing growth
experienced in that county should
continue and does not foresee a shift to
the Eastern Time Zone as having a
negative impact. On the other hand, in
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Pike County, local business and
industry have been tied to coal mining
and power generation and ‘‘the
industries that support them,’’ including
‘‘fabricating, welding, and shipping.’’
One of the main coal mine operators in
Pike County, Solar Sources, Inc., has its
headquarters in Indianapolis and
several mines in the Petitioning
Counties. As such, the Joint Petition
states that shifting Pike County to the
Eastern Time Zone would serve the
convenience of commerce by helping to
prevent the scheduling and shipping
problems that have coincided with the
placement of the Petitioning Counties in
the Central Time Zone.
The Joint Petition also focuses on the
economy of the Petitioning Counties as
a block, and states that the Petitioning
Counties have stronger economic and
cultural connections to each other, and
the Indiana counties currently in the
Eastern Time Zone, than they do with
other southern Indiana counties and the
Evansville-based economy in the
Central Time Zone. The Petitioning
Counties assert that one major economic
development project potentially shared
by all of the Petitioning Counties is the
proposed extension of Interstate 69 (I–
69) through central and southwestern
Indiana. The Petitioning Counties point
out that the expansion of I–69 will
provide more economical and efficient
access to Indianapolis, although they
cannot ‘‘precisely quantify the economic
impact to the region of the planned
highway expansion.’’ Nonetheless,
because traffic will be able to flow north
from southwest Indiana to the larger
network of highways that go through
Indianapolis, the highway will provide
‘‘a crucial link to central Indiana and
beyond.’’ As such, the Petitioning
Counties contend that they should be
placed in the Eastern Time Zone in
order to stay associated with the
infrastructure and markets that will be
made more accessible through the
extension of I–69. The Second
Supplemental Response notes that
updated information on the project ‘‘has
yet to be completed.’’
The Joint Petition also emphasizes the
economic impact in both Daviess and
Martin Counties of the NSWC Crane,
which it asserts serves as a large
regional employer and has entrances
that currently span two time zones and
three counties. The Joint Petition notes
that Daviess County has partnered with
the local and county redevelopment
commissions of Martin County and
Greene County, which is located in the
Eastern Time Zone, to create a major
technology park called ‘‘The West Gate
@ Crane,’’ which is ‘‘expected to become
Indiana’s showcase technology facility
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for intelligent and environmentally
balanced development.’’ Moreover, the
Joint Petition states that a shift to the
Eastern Time Zone would ‘‘greatly
simplify communications and improve
the support’’ of NSWC Crane’s primary
customers, which are located in the
Eastern Time Zone. The Joint Petition
notes that 67% of Crane’s employees
commute from the Eastern to the Central
Time Zone for work, causing business
efficiency and productivity to drop as a
consequence of irregular business hours
and meetings, relying on information
provided by leaders of six employee
organizations on NSWC Crane.
Moreover, the Second Supplemental
Response points out that this situation
has gotten worse with the
implementation of daylight savings time
in Indiana, which ‘‘has moved 76% of
NSWC Crane’s workforce to the Eastern
Time Zone while the plant has
remained on Central Time.’’ The Second
Supplemental Response quotes the
President of Crane Technology, Inc. as
stating that this has created a
‘‘nightmare for scheduling and
employee productivity’’ because ‘‘the
plant must operate two sets of clocks to
complete its business’’ and ‘‘virtually all
employees strongly desire a move that
would bring all workers on the same
time.’’ The Third Supplemental
Response says that EG&G Technical
Services, Crane, is ‘‘a major contractor
supporting’’ NSWC Crane and states
that, according to this contractor, ‘‘core
business hours have been reduced’’ and
this change ‘‘adversely impacts
workload execution and delays
meetings and decisions.’’ No
information was provided by officials
from NSCW Crane.
The Petitioning Counties have
submitted sufficient information
concerning the community’s economy/
economic development aspect of the
convenience of commerce standard to
justify proposing to change in the time
zone boundary. DOT solicits further
information and data supporting or
rebutting the information supplied by
the Petitioning Counties and how it
supports a change in the time zone for
the convenience of commerce.
Schools, Recreation, Health Care, or
Religious Worship
With regard to schools, the original
Daviess County petition stated that the
closest State college is the University of
Southern Indiana (USI) in Evansville in
the Central Time Zone. The original
Dubois County petition stated that the
majority of students leaving the
community for post-high school
education attend universities in the
Eastern Time Zone, although ‘‘a
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number’’ attend schools in Evansville.
The original Knox County petition
pointed out that residents who leave the
community for school go to Illinois, or
Gibson or Vanderburgh Counties, all in
the Central Time Zone. The original
Martin County petition stated that the
primary local outlets for higher
education were in the Central Time
Zone and include USI , IVY Tech, and
the University of Evansville, in
Vanderburgh County; Vincennes
University with campuses in Knox and
Dubois Counties; and Oakland City
University in Gibson County. The
original Pike petition did not mention
where its citizens go for higher
education.
Unlike the original petitions which
focused on higher education, the Joint
Petition focuses on primary and
secondary education, including sporting
events, and also on vocational students.
The Joint Petition notes that there are 15
school districts covering the five
Petitioning Counties. No school district
in the Petitioning Counties is in more
than one time zone. The Joint Petition
points out, however, that schools in
these districts compete in athletic
events against schools that are located
in other time zones. Consequently,
‘‘many away games have to be played in
counties that are already in the Eastern
Time Zone,’’ which causes ‘‘time-related
confusion of both students and
parents.’’ To support this claim, the
Joint Petition cites to the football
schedule for North Daviess High School
in Daviess County, which includes 6
games in the Eastern Time Zone (or 67%
of its games). In the Second
Supplemental Response, the Petitioning
Counties provide their high school
basketball schedules stating, ‘‘If the
Petitioning Counties are shifted to the
Eastern Time Zone, there will be a
reduction in the number of games
played in differing time zones from 27
to 18.’’ The Second Supplemental
Response explained that this would
‘‘reduce the games played in different
time zones to between 6% and 17%,’’
depending on the school. The Second
Supplemental Response also points out
that only one high school, Pike Central,
would play more games in a time zone
different from their own, if the Joint
Petition were granted. The Second
Supplemental Response concludes,
‘‘Based on the significant reduction of
games played outside the school’s time
zone in four out of the five Petitioning
Counties, a move to Eastern Time best
serves the convenience of commerce by
easing time-related confusion of both
students and parents.’’
The Joint Petition states that students
in the Petitioning Counties who attend
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vocational schools would also benefit
from their counties being switched to
the Eastern Time Zone and provided
statistics for vocational students in
Martin County. The Exhibit to the Joint
Petition indicates that 15 students must
travel back and forth across time zones
in the Shoals Community School
Corporation in Martin County. The
Second Supplemental Response
provides information on vocational
students in Pike and Dubois Counties,
but not for Daviess and Knox Counties,
noting an inability to obtain statistics for
these Counties. The Second
Supplemental Response mentions Twin
Rivers Vocational School (a cooperative
between school corporations in Knox
County, and Greene and Sullivan
Counties, which are already in the
Eastern Time Zone) as a school that
currently has scheduling difficulties
related to the different time zones. In
summary, approximately 67 vocational
students are affected by the time zone
differences.
With regard to recreation, the original
Daviess County petition stated that the
largest metropolitan area where its
citizens transact business is Evansville.
The original Dubois County petition
noted that ‘‘major recreational events’’
would be in either the Eastern or Central
Time Zones. The original Knox County
petition pointed out that residents who
leave the community for recreation go to
Illinois, or Gibson or Vanderburgh
Counties, all in the Central Time Zone.
The original Martin County petition
listed Daviess, Dubois, Knox, and
Vanderburgh Counties as the primary
recreational outlets for its citizens. The
original Pike County petition states that
‘‘by far the majority of any
entertainment available to the citizens
of Pike is located in Evansville.’’
The Joint Petition notes, ‘‘Recreational
facilities are distributed fairly evenly
throughout the Petitioning Counties,’’
and that ‘‘residents therefore typically
do not have to cross time zones to
participate in a sporting activity.’’ The
Joint Petition specifically refers to a
variety of sporting events and
opportunities for golfers, boaters, tennis
players, and fishers. On the other hand,
the Joint Petition states that if residents
want to go to a college athletic event at
one of the State’s three major
universities, they must cross into the
Eastern Time Zone.
DOT requested comments from the
Petitioning Counties on time zone
change as it relates to recreation and
tourism surrounding the Holiday World
& Splashin’ Safari amusement park in
Spencer County because of strong
economic ties between several of the
Petitioning Counties and Spencer and
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Perry Counties, with its 1450 seasonal
employees many who come from the
Petitioning Counties, and its nearly
900,000 visitors a year. In the Second
Supplemental Response, the Petitioning
Counties state that, ‘‘Due to its lengthy
hours of operation, Holiday World will
not be negatively impacted if the
Petitioning Counties move to Eastern
Time.’’ Rather, Holiday World stands to
benefit, ‘‘as visitors from Petitioning
Counties might arrive earlier in the day
due to their being an hour ahead.’’ The
Second Supplemental Response did not
provide a source for these assertions.
In the Second Supplemental
Response, the Petitioning Counties
identify the two other attractions in the
region: the French Lick Casino and
Resort, located in Orange County, in the
Eastern Time Zone, and Patoka Lakes
located in Dubois, Orange, and
Crawford Counties, in both the Eastern
and Central Time Zones. In the Third
Supplemental Response, the Petitioning
Counties provide more detailed
information about these attractions. The
French Lick Casino re-opened at the end
of October, 2006 and employs 1400
workers. From its opening through
March 2007, there had been 520,367
visitors. The fishing tournaments at
Patoka Lakes attract between 750,000
and 1,000,000 visitors. The Third
Supplemental Response adds an
attraction not mentioned in the Joint
Petition or the Second Supplemental
Response, Paoli Peaks, a ski resort in
Orange County that attracts 100,000
visitors annually.
With regard to health care, the
original individual petitions for Dubois
County stated that the citizens of their
counties receive ordinary medical care
within their respective county. For more
specialized medical care, the original
Dubois County petition stated that its
citizens go to Evansville, Indianapolis,
and Louisville. The original Knox
County petition pointed out that
residents who leave the community for
health care go to Illinois, or Gibson or
Vanderburgh Counties, all in the Central
Time Zone. The original Martin County
petition stated that a vast majority of its
residents utilize hospitals in Daviess,
Dubois, and Knox Counties. The
original Martin County petition cites
Evansville as the closest location with a
major medical center. The original
petitions for Daviess and Pike Counties
did not mention where its citizens
receive medical care.
The Joint Petition includes a chart
indicating that, with the exception of
Lawrence County Memorial in
Lawrence County, Indiana, all of the
hospitals located closest to the
Petitioning Counties are currently
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39601
located in the Central Time Zone. The
Joint Petition also states that the best
and closest specialty hospitals are
located in Indianapolis and Louisville,
both in the Eastern Time Zone, and that
‘‘there are no comparable hospitals with
world-renowned specialists and
facilities located in the Petitioning
Counties.’’ In the Second Supplemental
Response, the Petitioning Counties
correct the location of the Lawrence
County Memorial Hospital, which is
located in Lawrence, Illinois, in the
Central Time Zone. In the Third
Supplemental Response, the Petitioning
Counties attempt to provide some
justification for its assertions that
patients from the Petitioning Counties
seek treatment in Indianapolis or
Louisville. The Third Supplemental
Response refers to a report from the
Daviess County Hospital that indicates
that the majority of patients were
transferred to another Petitioning
County and more to a Central Time
Zone hospital than to a hospital in the
Eastern Time Zone. The Third
Supplemental Response states, ‘‘For
many of the Petitioning Counties
(Daviess, Knox, and Martin) the majority
of transfers outside of the Petitioning
Counties went to hospitals on Eastern
Time;’’ however, it does not provide a
reference to support this assertion.
The Joint Petition does not mention
any specific information regarding
religious worship, but concludes that,
based on the numerous places of
worship in each Petitioning County, the
majority of people worship in or near
the same county in which they live.
The Petitioning Counties have
submitted sufficient information
concerning the recreation aspect of the
convenience of commerce standard to
justify proposing to change in the time
zone boundary based on sporting
activities and area attractions. The
Petitioning Counties have also
submitted sufficient information
concerning the education aspect of the
convenience of commerce standard to
justify proposing to change the time
zone boundary based on after school
activities and higher education. The
Petitioning Counties have not submitted
sufficient information concerning the
religious observance or health care
aspect of the convenience of commerce
standard to justify proposing to change
the time zone boundary. DOT questions
the number of residents of the
Petitioning Counties that go to the more
specialized hospitals located in the
Eastern Time Zone, especially in light of
the fact that, if the petition were
granted, there would be more local
hospitals in a different time zone than
the current alignment. DOT seeks
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comment on the information submitted
by the Petitioning Counties and requests
any additional information that would
aid in determining whether a change in
the time zone for the Petitioning
Counties would serve the convenience
of commerce.
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Regional Connections
In the original rulemaking proceeding
to change time zone boundaries from
the Eastern Time Zone to the Central
Time Zone, the Petitioning Counties and
commenters advocated for a move by
referring to their ties to other Indiana
counties currently in the Central Time
Zone. Many referred to data from
STATS Indiana, including the Indiana
Annual Commuting Trends Profile,
based on Indiana IT 40 returns.
Commenters who supported the change
to Central Time also referred to data
from the Indiana Economic
Development Corporation, the Indiana
Department of Workforce Development,
the Indiana Department of
Transportation, the Indiana Department
of Education, and Designated Market
Areas as defined by Nielsen Media
Research for use in television ratings.
DOT carefully reviewed and used this
data when it reached its prior decision
to change the time zone boundaries of
the Petitioning Counties to the Central
Time Zone. Recognizing the importance
of regional connections, the benefits of
similar time zones, and regional ties
among counties, DOT stated in the
January 2006 final rule, ‘‘While Daviess,
Dubois, Knox, Martin, and Perry border
other Indiana counties in the Eastern
Time Zone, their ties to those counties
are not as strong as they are to each
other and to other counties to their
south, which are currently in the
Central Time Zone. Along with Pike,
these counties are located in the same
workforce, commerce, transportation,
and education regions designated by
Indiana.’’ DOT also noted that, in
general, remaining in the same time
zone and maintaining their regional ties
better position counties to realize
advantages in economic, cultural, social,
and civic activities, thereby serving the
convenience of commerce.
Contrary to the original statements
about ties to the Central Time Zone and
DOT’s determination, the Joint Petition
now asserts ties to the Eastern Time
Zone. The Joint Petition concludes,
‘‘The Petitioning Counties are on the
periphery of the regional, Evansvillebased economy and have stronger
economic and cultural connections to
each other and the interior counties
currently on Eastern Time than they do
with the relatively few counties at the
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southern tip of Indiana on Central
Time.’’
While the Joint Petition refers to ties
to the Eastern Time Zone, the Joint
Petition also mentions the United States
Bureau of Economic Analysis (BEA) in
its discussion of Martin County. It uses
the BEA information to explain the
major elements of the community’s
economy.
According to BEA’s Web site, ‘‘BEA
produces economic account statistics
that enable government and business
decision-makers, researchers, and the
American public to follow and
understand the performance of the
Nation’s economy * * * BEA’s
economic areas define the relevant
regional markets surrounding
metropolitan or micropolitan statistical
areas. They consist of one or more
economic nodes—metropolitan or
micropolitan statistical areas that serve
as regional centers of economic
activity—and the surrounding counties
that are economically related to the
nodes.’’ (Emphasis added.). The
economic areas are based on commuting
patterns, statistical areas, and on
newspaper circulation data. With the
exception of Knox County, the
Petitioning Counties are in BEA
economic area 54 (the Evansville, KY
area), along with other counties that are
in the Central Time Zone. Knox County,
on the other hand, is in a BEA economic
area with counties in both the Central
and Eastern Time Zones.
DOT asked the Petitioning Counties to
address these differences in the Joint
Petition’s assertions of connections to
the Eastern Time Zone and the BEA
data. Despite the BEA classification, in
their Second Supplemental Response,
the Petitioning Counties now insist that
their strongest economic connections
are among themselves and the
surrounding counties on Eastern Time
rather than to the other counties in BEA
economic area 54. The Second
Supplemental Response states, ‘‘A better
assessment of regional connectivity can
be seen on the State and local level.’’
The Second Supplemental Response
notes that State and local economic
development agencies may consider
commuter patterns and also ‘‘look to the
types of businesses in the area upon
which communities rely to sustain
growth’’ as well as funding, and
transportation opportunities. More
specifically, the Second Supplemental
response refers to the Indiana
Association of Regional Councils
(IARC), an organization that supports
regional planning efforts that prioritize
and categorize local community and
economic development needs and
projects as well as the transportation
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and special needs of the communities.
Under IARC, none of the Petitioning
Counties considered to be within the
Evansville region and are connected
with other Petitioning Counties and
counties.
The Second Supplemental Response
also refers to other connections to
counties already on Eastern Time.
Under Region 15 Economic Area,
Dubois and Pike Counties are paired
with Orange and Crawford Counties in
the Eastern Time Zone. The Second
Supplemental Response also notes that
Daviess, Knox, and Martin Counties are
served by the Southern Indiana
Development Commission (SIDC) along
with two other counties currently in the
Eastern Time Zone. According to the
Second Supplemental Response, SIDC
counties have collaborated on Federal
and State grant applications. As an
example of these collaborative efforts,
the Second Supplemental Response
refers to a demand-based rural transit
system funded by a Federal grant. The
Second Supplemental Response asserts
that placing all participating counties in
the same time zone will preserve the
cohesiveness and viability of the
system.
Another regional economic
development project referenced in the
Second Supplemental Response is
Crane Diversification, which is
composed of six counties, including
Daviess and Martin Counties and four
others counties which are on Eastern
Time. According to the Second
Supplemental Response, the goal of
Crane Diversification ‘‘is to develop an
economic diversification plan that will
result in an orderly transition of this
block of counties * * * from economic
dependence on national defense
spending to a more balanced local
economy with a mix of private and
public sector employment opportunities
for the area’s citizens.’’ The Petitioning
Counties believe that projects such as
Crane Diversification would be
negatively impacted by the current time
zone disparity, affecting planning,
integration, and strategic development.
The Second Supplemental Response
also mentions other projects that it says
define the economic region in terms of
counties tied to each other through
potential business development. These
include the Indiana Uplands Growth
Partnership, developed under a gaming
statute; Economic Growth Region 8; and
West Gate @ Crane Technology Park.
The Third Supplemental Response
explains these in greater detail.
According to the Third Supplemental
Response, the Indiana Upland Growth
Partnership concerns the French Lick
Casino and arose under State legislation.
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The Third Supplemental Response
states that ‘‘a portion of the admission
taxes at the casino will go towards
supporting regional economic activity
for Orange County (Eastern) and the five
counties surrounding Orange.’’ While
the Third Supplemental response refers
to five counties, it only lists four and
states, ‘‘These counties have worked
together to develop a strategic plan for
the economic development of the six
county region.’’ With regard to West
Gate @ Crane Technology Park, the
Third Supplemental Response notes
that it was certified by the Indiana
Economic Development Corporation
and developed by county and economic
development commissions from Daviess
(Central), Martin (Central), and Greene
(Eastern) counties. The Third
Supplemental Response states, ‘‘The
state-of-the-art facilities in development
are expected to serve major commercial
technology companies associated with
the $2 billion NSWC Crane military
technical center. Facilities are also being
designed for academic and training
operations.’’ As for Economic Growth
Region 8, the Third Supplemental
Response explains that the region was
designated by the Indiana Department of
Workforce Development ‘‘to promote
economic growth and serve as a means
for implementing the State’s Strategic
Plan Initiative.’’
The Third Supplemental Response
concludes that failing to change the time
zone boundary to the Eastern Time Zone
and ‘‘cement the connection between
the Petitioning Counties and the State
Capitol, and between a large portion of
the business in the Petitioning Counties
and their customer base, is likely to
have a significantly negative impact on
the already struggling economies of this
region.’’
The Petitioning Counties’ references
to Region 15 Economic Area and
Economic Growth Region 8 are also
addressed in letters from the Indiana
Economic Development Corporation
and the Indiana Department of
Workforce Development. As noted
above, these organizations explained
that they established their respective
State regions based on their ability to
deliver services. They did not establish
regions based on time zones or
‘‘convenience of commerce.’’
Nevertheless, the Petitioning Counties
have submitted sufficient information
concerning the regional connections and
ties to the Eastern Time Zone to justify
proposing to change the time zone. DOT
seeks comment on the information
submitted by the Petitioning Counties
and requests any additional information
concerning regional connections that
would aid in determining whether
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changing the time zone for these
counties would serve the convenience
of commerce.
Request for Comments
To aid us in our consideration of
whether a time zone change would be
‘‘for the convenience of commerce,’’ we
ask for comments on the impact on
commerce of a change in the time zone
and whether a new time zone would
improve the convenience of commerce.
The comments should address the
impact on such things as economic,
cultural, social, and civic activities and
how time zone changes affect
businesses, communication,
transportation, and education. The
comments should be as detailed as
possible, providing the basis of the
information including factual data or
surveys. For example, with regard to
major bus, rail, and air transportation,
information such as the average time it
takes for a county resident to travel to
a transportation terminal or the average
distance to the terminal for a county
resident would be useful. With regard to
the impact of the time zone on
education, if a school district crosses
county lines, the number of students in
each county in that district would be
helpful. Information on school activities
such as sporting events or academic
competitions that take place in other
counties or locations that are not on the
same time zone as the school district
would also be useful. Similar
information on community colleges
could also be beneficial. Finally, we
would appreciate information on how
the different time zones affect the
students and the schools.
We specifically invite comment from
neighboring Indiana counties and
counties in other States that may also be
impacted by changing the Petitioning
Counties’ time zone boundary.
Although the Petitioning Counties
have submitted sufficient information to
begin the rulemaking process, the
decision whether actually to make the
change will also consider information
submitted in writing to the docket.
Persons supporting or opposing the
change should not assume that the
change will be made merely because
DOT is making the proposal. DOT here
issues no opinion on the ultimate merits
of the Petitioning Counties’ request. We
note that the Petitioning Counties and
their residents have had only a short
time to experience the effects of
changing from Eastern to Central Time
and now the Petitioning Counties
request to change back again. We also
understand that this proposal may have
an impact on surrounding Counties,
particularly Perry County which
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39603
changed time zone boundaries at the
same time as the Petitioning Counties.
This may result in many comments to
the docket. Our decision in the final
rule will be made on the basis of
information and comments developed
during the entire rulemaking
proceeding. In our experience, time
zone boundary changes can be
extremely disruptive to a community
and, therefore, should not be made
without careful consideration. At the
close of the comment period, we will
analyze the comments submitted and
decide whether to withdraw the
proposal (and deny the Joint Petition) or
issue a final rule.
Comment Period
We are providing 30 days for public
comments in this proceeding. Although
we normally provide 60 days for public
comments on proposed rules, we
believe that 30 days is an adequate
public comment period in this instance.
It is important to resolve this
rulemaking expeditiously so that we can
provide ample notice if a change to the
Petitioning Counties’ time zone
boundaries is adopted. Since the
introduction and passage of the Indiana
Act in 2005 and through DOT’s time
zone regulatory proceeding and review
of three Supplemental Responses, the
time zone boundary issue has been
actively discussed and analyzed. In this
regard, we expect that 30 days is
adequate time to submit the necessary
data, which is based on currently
available information.
Regulatory Analysis and Notices
This proposed rule is not a
‘‘significant regulatory action’’ under
section 3(f) of Executive Order 12866
and does not require an assessment of
potential costs and benefits under
section 6(a)(3) of that Order. It has not
been reviewed by the Office of
Management and Budget under that
Order. It is not ‘‘significant’’ under the
regulatory policies and procedures of
the Department of Transportation (44 FR
11040; February 26, 1979). We expect
the economic impact of this proposed
rule to be so minimal that a full
Regulatory Evaluation under paragraph
10e of the regulatory policies and
procedures of DOT is unnecessary. The
rule primarily affects the convenience of
individuals in scheduling activities. By
itself, it imposes no direct costs. Its
impact is localized in nature.
Small Entities
Under the Regulatory Flexibility Act
(5 U.S.C. 601–612), we considered
whether this proposed rule would have
a significant economic impact on a
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substantial number of small entities.
The term ‘‘small entities’’ comprises
small businesses, not-for-profit
organizations that are independently
owned and operated and are not
dominant in their fields, and
governmental jurisdictions with
populations of less than 50,000. This
proposal, if adopted, would primarily
affect individuals and their scheduling
of activities. Although it would affect
some small businesses, not-for-profits
and, perhaps, a number of small
governmental jurisdictions, it would not
be a substantial number. In addition, the
change should have little, if any,
economic impact.
Therefore, I certify under 5 U.S.C.
605(b) that this proposed rule would
not, if adopted, have a significant
economic impact on a substantial
number of small entities. If you think
that your business, organization, or
governmental jurisdiction qualifies as a
small entity and that this rule would
have a significant economic impact on
it, please submit a comment to the
Docket Management Facility at the
address under ADDRESSES. In your
comment, explain why you think it
qualifies and how and to what degree
this rule would economically affect it.
Under section 213(a) of the Small
Business Regulatory Enforcement
Fairness Act of 1996 (Pub. L. 104–121),
we want to assist small entities in
understanding this proposed rule so that
they can better evaluate its effects on
them and participate in the rulemaking.
If the rule would affect your small
business, organization, or governmental
jurisdiction and you have questions
concerning its provisions or options for
compliance, please call Judith Kaleta at
(202) 366–9315.
Collection of Information
This proposed rule would call for no
new collection of information under the
Paperwork Reduction Act of 1995 (44
U.S.C. 3501–3520).
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Federalism
We have analyzed this proposed rule
under E.O. 12612 and have determined
that this rule does not have sufficient
implications for federalism to warrant
the preparation of a Federalism
Assessment.
Unfunded Mandates
The Unfunded Mandates Reform Act
of 1995 (2 U.S.C. 1531–1538) and E.O.
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12875, Enhancing the Intergovernmental
Partnership, (58 FR 58093; October 28,
1993) govern the issuance of Federal
regulations that impose unfunded
mandates. An unfunded mandate is a
regulation that requires a State, local, or
tribal government or the private sector
to incur direct costs without the Federal
Government’s having first provided the
funds to pay those costs. This proposed
rule would not impose an unfunded
mandate.
Taking of Private Property
This proposed rule would not result
in a taking of private property or
otherwise have taking implications
under E.O. 12630, Governmental
Actions and Interference with
Constitutionally Protected Property
Rights.
Civil Justice Reform
This proposed rule meets applicable
standards in sections 3(a) and 3(b)(2) of
E.O. 12988, Civil Justice Reform, to
minimize litigation, eliminate
ambiguity, and reduce burden.
Protection of Children
We have analyzed this proposed rule
under E.O. 13045, Protection of
Children from Environmental Health
Risks and Safety Risks. This rule is not
an economically significant rule and
does not concern an environmental risk
to health or risk to safety that may
disproportionately affect children.
Environment
This rulemaking is not a major
Federal action significantly affecting the
quality of the human environment
under the National Environmental
Policy Act and, therefore, an
environmental impact statement is not
required.
Privacy Act
Anyone is able to search the
electronic form of all comments
received into any of our dockets by the
name of the individual submitting the
comment (or signing the comment, if
submitted on behalf of an association,
business, labor union, etc.). You may
review DOT’s complete Privacy Act
Statement in the Federal Register
published on April 11, 2000 (Volume
65, Number 70; Pages 19477–78) or you
may visit https://dms.dot.gov.
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List of Subjects in 49 CFR Part 71
Time zones.
For the reasons discussed above, the
Office of the Secretary proposes to
amend Title 49 part 71 as follows:
1. The authority citation for part 71
continues to read as follows:
Authority: Secs. 1–4, 40 Stat. 450, as
amended; sec. 1, 41 Stat. 1446, as amended;
secs. 2–7, 80 Stat. 107, as amended; 100 Stat.
764; Act of Mar. 19, 1918, as amended by the
Uniform Time Act of 1966 and Pub. L.
97–449, 15 U.S.C. 260–267; Pub. L. 99–359;
Pub. L. 106–564, 15 U.S.C. 263, 114 Stat.
2811; 49 CFR 1.59(a).
2. Paragraph (b) of § 71.5 is revised to
read as follows:
§ 71.5 Boundary line between eastern and
central zones.
*
*
*
*
*
(b) Indiana-Illinois. From the junction
of the western boundary of the State of
Michigan with the northern boundary of
the State of Indiana easterly along the
northern boundary of the State of
Indiana to the east line of LaPorte
County; thence southerly along the east
line of LaPorte County to the north line
of Starke County; thence east along the
north line of Starke County to the west
line of Marshall County; thence south
along the west line of Marshall County;
thence west along the north line of
Pulaski County to the east line of Jasper
County; thence south along the east line
of Jasper County to the south line of
Jasper County; thence west along the
south lines of Jasper and Newton
Counties to the western boundary of the
State of Indiana; thence south along the
western boundary of the State of Indiana
to the north line of Gibson County;
thence easterly and northerly along the
north line of Gibson County to the west
line of Pike County; thence south along
the west line of Pike County to the north
line of Warrick County; thence east
along the north line of Warrick and
Spencer Counties to the west line of
Perry County; thence easterly and
southerly along the north and east line
of Perry County to the Indiana-Kentucky
boundary.
*
*
*
*
*
Issued in Washington, DC on July 16, 2007.
D.J. Gribbin,
General Counsel.
[FR Doc. 07–3516 Filed 7–16–07; 12:13 pm]
BILLING CODE 4910–9X–P
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Agencies
[Federal Register Volume 72, Number 138 (Thursday, July 19, 2007)]
[Proposed Rules]
[Pages 39593-39604]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 07-3516]
=======================================================================
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DEPARTMENT OF TRANSPORTATION
Office of the Secretary
49 CFR Part 71
[OST Docket No. 2007-28746]
RIN 2105-AD71
Standard Time Zone Boundary in Southwest Indiana
AGENCY: Office of the Secretary (OST), the Department of Transportation
(DOT).
ACTION: Notice of proposed rulemaking.
-----------------------------------------------------------------------
SUMMARY: DOT proposes to relocate the time zone boundary in Indiana to
move Knox, Daviess, Martin, Pike, and Dubois Counties from the Central
Time Zone to the Eastern Time Zone. This action is taken at the request
of the Boards of Commissioners of each of the counties. DOT requests
comment on whether this change would serve the convenience of commerce,
the statutory standard for a time zone change and whether the time zone
boundary should be changed for other contiguous counties in
southwestern Indiana. Persons supporting or opposing the change should
not assume that the change will be made merely because DOT is making
the proposal. The final rule will be based on all of the information
received during the entire rulemaking proceeding and whether the
statutory standard has been met.
DATES: Comments should be received by August 20, 2007 to be assured of
consideration. Comments received after that date will be considered to
the extent practicable. If the time zone boundary is changed as a
result of this rulemaking, the effective date would be November 4,
2007.
ADDRESSES: You may submit comments by any of the following methods:
Web site: https://dms.dot.gov. Follow the instructions for
submitting comments on the DOT electronic docket site.
Fax: 1-202-493-2251.
Mail: Docket Management Facility; U.S. Department of
Transportation, 1200 New Jersey Avenue, SE., Room W12-140, Washington,
DC 20590-0001.
Hand Delivery: Room W12-140 on the plaza level of the U.S.
Department of Transportation, 1200 New Jersey Avenue, SE., Washington,
DC, between 9 a.m. and 5 p.m., Monday through Friday, except Federal
holidays.
Federal eRulemaking Portal: Go to https://
www.regulations.gov. Follow the online instructions for submitting
comments.
General Instructions: All submissions must include the agency name
and docket number (OST Docket Number 2007-28746) or Regulatory
Identification Number (RIN 2105-AD71) for this rulemaking. Note that
all comments received will be posted without change (including any
personal information provided) to https://dms.dot.gov. Please refer to
the Privacy Act heading under Regulatory Notices.
Docket: For access to the docket to read background documents or
comments received, go to https://dms.dot.gov at any time or to Room W12-
140 on the plaza level of the U.S. Department of Transportation, 1200
New Jersey Avenue, SE., Washington, DC, between 9 a.m. and 5 p.m.,
Monday through Friday, except Federal holidays.
FOR FURTHER INFORMATION CONTACT: Judith S. Kaleta, Office of the
General Counsel, U.S. Department of Transportation, 1200 New Jersey
Avenue, SE., Washington, DC 20590, indianatime@dot.gov, (202) 493-0992.
SUPPLEMENTARY INFORMATION:
Current Indiana Time Observance
Indiana is divided into 92 counties. Under Federal law, 75 counties
are in the Eastern Time Zone and 17 are in the Central Time Zone. There
are six Central Time Zone counties in the northwest (Lake, Porter, La
Porte, Starke, Newton, and Jasper) and eleven in the southwest (Knox,
Daviess, Martin, Gibson, Pike, Dubois, Posey, Vanderburgh, Warrick,
Spencer, and Perry). Neighboring states differ as to whether they
observe Eastern or Central Time. Illinois and western Kentucky observe
Central Time, while eastern Kentucky, Ohio, and the portion of Michigan
adjoining Indiana observe Eastern Time.
Federal law provides that an individual State can decide whether or
not to observe daylight saving time. In 2005, the Indiana General
Assembly adopted legislation (Pub. L. 243-005 or the Indiana Act) that
provides that the entire State of Indiana would observe daylight saving
time beginning in 2006. In addition, the Indiana Act addressed the
issue of changing the Eastern and Central Time Zone boundaries.
In January 2006 (71 FR 3228) and February 2007 (72 FR 6170), DOT
completed rulemaking proceedings establishing new time zone boundaries
that resulted in the current time zone observance. Knox, Daviess,
Martin, Pike, and Dubois Counties (the Petitioning Counties), which
were moved to the Central Time Zone in January 2006, have now filed a
Joint Petition requesting a time zone change back to the Eastern Time
Zone.
Statutory Requirements
Under the Standard Time Act of 1918, as amended by the Uniform Time
Act of 1966 (15 U.S.C. 260-64), the Secretary of Transportation has
authority to issue regulations modifying the boundaries between time
zones in the United States in order to move an area from one time zone
to another. The standard to modify a boundary contained in the statute
for such decisions is ``regard for the convenience of commerce and the
existing junction points and division points of common carriers engaged
in interstate or foreign commerce.'' 15 U.S.C. 261.
DOT Procedures To Change a Time Zone Boundary
DOT has typically used a set of procedures to address time zone
issues. Under these procedures, DOT will generally begin a rulemaking
proceeding to change a time zone boundary if the highest elected
officials in the area submit a petition requesting a time zone change
and provide adequate data supporting the proposed change. We ask that
the petition include, or be accompanied by, detailed information
supporting the requesting party's contention that the requested change
would serve the convenience of commerce. The principle for deciding
whether to change a time zone is defined very broadly to include
consideration of all impacts of such a change on a community. We also
ask that the supporting documentation address, at a minimum, each of
the
[[Page 39594]]
following questions in as much detail as possible:
1. From where do businesses in the community get their supplies,
and to where do they ship their goods or products?
2. From where does the community receive television and radio
broadcasts?
3. Where are the newspapers published that serve the community?
4. From where does the community get its bus and passenger rail
services; if there is no scheduled bus or passenger rail service in the
community, to where must residents go to obtain these services?
5. Where is the nearest airport; if it is a local service airport,
to what major airport does it carry passengers?
6. What percentage of residents of the community work outside the
community; where do these residents work?
7. What are the major elements of the community's economy; is the
community's economy improving or declining; what Federal, State, or
local plans, if any, are there for economic development in the
community?
8. If residents leave the community for schooling, recreation,
health care, or religious worship, what standard of time is observed in
the places where they go for these purposes?
In addition, we consider any other information that the county or
local officials believe to be relevant to the proceeding. We consider
the effect on economic, cultural, social, and civic activities, and how
a change in time zone would affect businesses, communication,
transportation, and education.
2005-2006 Indiana Time Zone Rulemaking Proceedings Involving the
Petitioning Counties
On August 17, 2005, DOT published a notice in the Federal Register
inviting county and local officials in Indiana that wished to change
their current time zone in response to the Indiana Act to notify DOT of
their request for a change by September 16, 2005, and to provide data
in response to the questions identified in the previous section on DOT
Procedures to Change a Time Zone Boundary. DOT received 19 petitions
from counties asking to be changed from the Eastern Time Zone to the
Central Time Zone, including the five Petitioning Counties.
The Petitioning Counties are located between Evansville and
Indianapolis, near the geographic center of North America and the
median center of the U.S. population. The Petitioning Counties are
bordered to the north and east by counties in Indiana that are
currently located in the Eastern Time Zone. The Petitioning Counties
are bordered to the west by Illinois and to the south by counties in
Indiana that are currently located in the Central Time Zone. According
to data from STATS Indiana (an information service of the Indiana
Business Research Center at Indiana University's Kelly School of
Business), the Petitioning Counties had a total population of 132,842
in 2005. The Petitioning Counties were five of the eight counties that
moved from the Eastern Time Zone to the Central Time Zone under DOT's
January 2006 final rule.
In the original 2005 rulemaking proceeding, the Petitioning
Counties submitted their petitions individually. In their 2005
petitions, they enumerated reasons for a move to the Central Time Zone
based in large part on comments made during open, local public meetings
in the respective counties. The Daviess County petition emphasized
Evansville (in the Central Time Zone) as the place with the closest
airport and the place where its residents shop, conduct business, and
receive television broadcasts, with ``numerous citizens'' employed in
Gibson County (in the Central Time Zone). The Dubois County petition
pointed out that while many services are obtained within-county, the
decision to move to the Central Time Zone was supported by ``60 to 70%
of the general public, by representatives of three local school
districts, and by approximately 50% of local business and industry.''
The Knox County petition stated that many of its residents work in the
Central Time Zone, creating ``time zone issues during substantial
portions of the year'' and those residents who leave for schooling,
recreation, healthcare and religious worship go to areas in the Central
Time Zone. The Martin County petition stated that ``inclusion in the
Central Time Zone is preferred by a majority of those responding,''
that 40% of its residents work outside of the County (mainly in the
Central Time Zone), and that the primary providers of goods and
recipients of products to and from the County are already located in or
are petitioning to be in the Central Time Zone. The Pike County
petition cited television and radio broadcasting, the interests of its
mining industry and an increasing number of employees commuting to
counties in the Central Time Zone.
Based on these petitions and comments that were submitted to the
docket and made at the public hearings, as well as an analysis of
Indiana economic, workforce, transportation, and education regions as
well as media/commerce data, DOT concluded that the Petitioning
Counties have stronger ties to each other and to other counties to
their south in the Central Time Zone than to the counties on their
northern and eastern borders in the Eastern Time Zone. DOT, therefore,
granted the petitions and changed the time zone boundaries for the
Petitioning Counties from the Eastern Time Zone to the Central Time
Zone. The change to the Central Time Zone became effective on April 2,
2006.
Only a few months later, on August 18, 2006, the Boards of
Commissioners of the Petitioning Counties jointly submitted a petition
(Joint Petition) in which they enumerated the reasons that the
Petitioning Counties, as a unit, should be changed back to the Eastern
Time Zone. As compared to the original petitions from the Petitioning
Counties, the Joint Petition includes updated answers to the questions
DOT considers in making time zone determinations as well as exhibits in
support of these answers. The Joint Petition provides more detailed
responses to DOT's questions related to community imports and exports,
television and radio broadcasts, newspapers, bus and passenger rail
services, airports/airline services, worker commuting patterns, the
community's economy/economic development, and schooling, recreation,
health care, or religious worship.
The Joint Petition requests a change that is contrary to the
Petitioning Counties' positions in their original individual petitions.
The Joint Petition claims the original petitions ``were incomplete and
conclusory, and the information they contained was limited and largely
based on opinion and not backed by substantial and verifiable
evidence.'' The Joint Petition states that, since the January 2006
ruling, there has been ``a groundswell of support for returning to the
Eastern Time Zone, which has been a product of residents and businesses
having been inconvenienced in ways that they could not have fully
anticipated until the switch occurred.'' Accordingly, the Joint
Petition claims ``to contain more extensive and thorough research on
this issue.''
The Joint Petition was accompanied by letters from Indiana Governor
Mitchell Daniels, the Indiana Economic Development Corporation, and the
Indiana Department of Workforce Development. The Governor wrote in
support of the Joint Petition, stating that putting more of the State
in the same time zone will provide clarity on the time questions and
advance economic growth. The two organizations addressed regional
connectivity. They
[[Page 39595]]
noted that they established their respective State regions based on
their ability to deliver services. They did not establish regions based
on time zones or ``convenience of commerce.''
After reviewing the Joint Petition and its accompanying exhibits
and letters of support, on September 28, 2006, DOT sent a letter to the
Petitioning Counties requesting that certain procedural concerns be
addressed. Specifically, DOT requested the submission of amended
signature pages for each county, certifying that the request was the
result of official action by the Board of County Commissioners, the
vote of the Board members concerning the submission of the Joint
Petition, the date of the vote, and the signature for each Board
member. The Petitioning Counties complied with this request on November
13, 2006 (First Supplemental Response).
On November 14, 2006, the DOT sent a second letter seeking
clarification and additional information from the Petitioning Counties
before making any determination on whether to propose a time zone
boundary change for the Petitioning Counties. In turn, on December 6,
2006, the Petitioning Counties submitted to DOT a supplemental response
(Second Supplemental Response) and appendix to DOT's request for this
additional substantive information.
Upon reviewing the Second Supplemental Response, DOT determined
that while the Petitioning Counties provided answers to most of DOT's
inquiries, in some instances gaps remained, and there were
inconsistencies in the responses. Information provided by the
Petitioning Counties needed to be corrected or clarified. On April 2,
2007, therefore, DOT sent another letter to the Petitioning Counties
requesting additional information and verification of the data
submitted. This request was necessary in light of the lack of complete
and accurate information previously provided to DOT by the Petitioning
Counties. DOT noted, ``While the clarification of particular facts may
not be dispositive to DOT's determination that a time zone change would
serve the convenience of commerce standard, we want to ensure the
integrity of the data we rely upon.'' On May 29, 2007, the Petitioning
Counties responded by letter (Third Supplemental Response), accompanied
by numerous exhibits.
Comments to the Docket
There are currently nearly 300 entries to the docket addressing the
request of the Petitioning Counties to be changed back to the Eastern
Time Zone and the information submitted by the Petitioning Counties.
These comments express the preferences of the residents of the
Petitioning Counties and the views of businesses and individuals on how
a particular time zone has impacted or would impact the Petitioning
Counties. The focus of this Notice of Proposed Rulemaking is on the
Joint Petition and Supplemental Responses. Before making a final
determination on whether to change the time zone boundaries for the
Petitioning Counties, we will carefully review the Joint Petition and
Supplemental Responses in conjunction with any additional comments
received and data gathered during the rulemaking process.
DOT Determination
Based on the Joint Petition and the three Supplemental Responses,
DOT finds that the Petitioning Counties have provided enough
information to justify proposing to change their boundary from the
Central Time Zone to the Eastern Time Zone. As set forth below, the
Petitioning Counties addressed all of the factors that we consider in
these proceedings and overall made a reasonable case that changing back
the Petitioning Counties to the Eastern Time Zone would serve ``the
convenience of commerce.''
Community Imports and Exports
The 2005 individual petitions from each Petitioning County to move
from the Eastern Time Zone to the Central Time Zone did not include
very detailed analyses of community imports and exports. On the other
hand, in the Joint Petition and the Second and Third Supplemental
Responses, the Petitioning Counties provide additional evidence in
support of the contention that, when considered as a single unit, the
balance of the evidence supports placement in the Eastern Time Zone.
The original Daviess County petition stated that the largest
metropolitan area where its residents transact business is Evansville.
In contrast, the Joint Petition quotes the Executive Director of the
Daviess County Economic Development Corporation as stating that
businesses in Daviess County ``uniformly desire to be on Eastern Time''
and that the top businesses and industries there ship most of their
products into the Eastern Time Zone. The original Dubois County
petition stated that its businesses ``acquire and ship supplies and
products nationally and internationally, and probably as to purchase
and sales no time zone would have priority over any other zone.'' On
the other hand, citing the Directors of the Jasper and Huntingburg
Chambers of Commerce, the Joint Petition states that the major
employers in Dubois County ship their products to major metropolitan
areas up and down the East Coast and that ``the dollar volume of
commerce in the county is driven by customers and suppliers in the
Eastern Time Zone.'' The original Knox County petition stated that its
businesses ``obtain supplies and ship goods and products from and to
locations in various time zones'' and to ``all parts of the United
States and the Northern Hemisphere.'' The Joint Petition makes a
similar assertion, stating specifically that Futaba Indiana of America
manufactures door frames for Toyota's Princeton, Indiana plant in the
Central Time Zone and also ships products to Toyota's Georgetown,
Indiana plant in the Eastern Time Zone. The Joint Petition adds that
another large employer in Dubois County, Gemtron/Schott, ships products
all over the United States. The original Martin County petition
declared that the primary providers and recipients of its products were
counties petitioning for placement or currently in the Central Time
Zone. On the other hand, the Joint Petition refers to a business
manager for EG&G Crane Operations located at the Naval Surface Warfare
Center Crane Division (NSWC Crane) and identifies NSWC Crane as the
largest employer in the County, and claims that although NSWC Crane
ships its products throughout the United States, its two largest
customers are located in the Eastern Time Zone. (We note that this
information comes from the Joint Petition, not directly from NSWC Crane
or its officials.) Finally, while the original Pike County petition
made no mention of its community imports and exports, it noted that
Pike County has a significant coal mining industry. The Joint Petition
reiterates the importance of the coal mining industry in Pike County
and that the bulk of coal mined in the County is used by two of the
County's largest employers (Indiana Power & Light and Hoosier Energy),
which maintain headquarters and generating plants in the Eastern Time
Zone.
In addition to focusing on the imports and exports in each of the
Petitioning Counties, the Joint Petition takes a broader perspective.
Citing statistics compiled by the Indiana Chamber of Commerce
(Chamber), it notes that over one-third of all Indiana's exports are
sent to the Eastern Time Zone, whereas only one-fourth of all Indiana's
exports had a final destination in the Central Time Zone. The Chamber's
statistics
[[Page 39596]]
also indicate that over one-half of Indiana's imports come from a
``point of origin'' in the Eastern Time Zone, whereas less than one-
half of all Indiana imports had a point of origin in the Central Time
Zone. However, DOT questioned the Petitioning Counties on whether these
facts support a move to the Eastern Time Zone, noting that these
statistics also reveal that two-thirds of products are exported to
locations other than the Eastern Time Zone and that just less than one-
half come from a point of origin other than the Eastern Time Zone. In
their Second Supplemental Response, the Petitioning Counties
nonetheless contend that, although the total import/export data may not
support a change to the Eastern Time Zone, they wanted to ensure that
they addressed all the criteria considered by DOT and asserted that the
balance of the evidence presented in the Joint Petition supports a move
from the Central Time Zone to the Eastern Time Zone.
The Joint Petition also points out that ``if the Petitioning
Counties are put on Eastern Time, all of the nearest Wal-Marts for
residents in the Petitioning Counties would be on Eastern Time.'' The
Joint Petition claims that, although the majority of these stores are
open 24 hours a day, the Jasper location in Dubois closes during the
night and has a different schedule than its distribution center
(located in Jackson County, in the Eastern Time Zone), thereby
adversely affecting its shipping schedule. The Joint Petition contends
this is important for the counties because many ``[i]ndividuals and
small businesses * * * depend on Wal-Mart Stores and Supercenters for
their goods and supplies.'' Thus, the Joint Petition concludes that the
convenience of commerce would be best served if all stores and
distribution centers were located in the same zone, in order to reduce
confusion for just-in-time delivery systems and to accommodate work
schedules.
In the Third Supplemental Response, the Petitioning Counties
clarify that the Jasper Wal-Mart is open 24 hours a day. Nevertheless,
the Third Supplemental Response notes that, because the pharmacy and
automotive department operate under limited hours, it might better
serve the convenience of commerce if the store was located in the
Eastern Time Zone.
The Joint Petition also states that product manufacturers (the
major employers in Dubois County) ship their products mainly to ``major
metropolitan areas up and down the East Coast,'' while the ``majority
of suppliers are likewise located in, or are in areas petitioning to be
in, the Eastern Time Zone.'' In fact, ``over 50% of the dollar volume
of commerce is driven by customers in the Eastern Time Zone'' for those
companies. In response to DOT's inquiry regarding the fact that Dubois
County has historically been on a different time than its suppliers and
customers during seven months of the year (before Indiana began to
observe daylight saving time in 2006), the Second Supplemental Response
notes that the convenience of commerce would nonetheless be even better
served if businesses could communicate in ``real time'' (communicating
at the same hour in both places) with their customers during the course
of an entire year. They claim that this move would shift resources away
from coping mechanisms and toward more productive business activities.
In the Second Supplemental Response, the Petitioning Counties
address DOT's questions about commerce in Knox County arising from the
Joint Petition. The Second Supplemental Response claims that a move to
the Eastern Time Zone would put Futaba Indiana of America (FIA),
identified as a major Knox County automobile parts producer, in the
same time zone as its two important customers in the Eastern Time Zone.
Although FIA also ships its products to locations in the Central Time
Zone (including Chicago and Texas), the Second Supplemental Response
asserts that harmonizing the manufacturing plant with at least two of
its customers located in the Eastern Time Zone would positively advance
the convenience of commerce. DOT requested support for these assertions
and, in the Third Supplemental Response, the Petitioning Counties cite
to an FIA receptionist, newspaper articles, and the Director of the
Knox County Development Corporation in support of their position on
this issue.
While DOT remains unconvinced by the assertions of the Petitioning
Counties as they relate to FIA and the Knox County economy, the
Petitioning Counties have submitted sufficient information to show that
many businesses and industries located in the Petitioning Counties have
substantial business connections in the Eastern Time Zone that would
justify proposing to move the time zone boundary for the Petitioning
Counties to the Eastern Time Zone. In addition, the Petitioning
Counties have submitted sufficient information to justify proposing to
move the time zone boundary based on their claims that the convenience
of commerce would better be served if businesses did not have to adjust
for time zone differences. DOT solicits further information concerning
community imports and exports that would aid in determining whether a
change in the time zone for the Petitioning Counties would serve the
convenience of commerce.
Television and Radio Broadcasts
With regard to television and radio broadcasts, the original
petitions submitted by each Petitioning County made general statements
about transmissions that each Petitioning County receives. The original
Daviess County petition stated that it receives its television
broadcasts from both Evansville and Terre Haute. The original Dubois
County petition stated that it receives radio transmissions from within
the county and television broadcasts from Evansville, Louisville, Terre
Haute, and Indianapolis. The original Knox County petition pointed out
that it is the second-largest television audience for Terre Haute and
the fourth-largest for Evansville. The original Martin County petition
noted that it is served by television stations located in Evansville in
Vanderburgh County and Vincennes in Knox County. Finally, the original
Pike County petition stated that the majority of its broadcasts
originate out of Evansville.
The Joint Petition and Second and Third Supplemental Responses
provide more detailed information regarding television and radio
broadcasting in the Petitioning Counties. The Joint Petition states
that the majority of the Petitioning Counties (Knox, Daviess, and
Martin) are in the Terre Haute Designated Market Area (DMA), in the
Eastern Time Zone. The remaining Petitioning Counties (Pike and Dubois)
are part of the Evansville DMA, in the Central Time Zone.
The Joint Petition claims that every radio station with the
strongest signal in the Petitioning Counties is currently located, or
petitioning to be, in the Eastern Time Zone. In support of this
statement, the Joint Petition includes two charts that list the
stations (both FM and AM) with the three strongest signals that reach
each of the five petitioning counties. These charts also indicate the
city and county where the station is currently located, as well as the
time zone of the station's location if the petition were granted. DOT
questioned the decision to include only the signals with the three
strongest frequencies, whether these were the strongest frequencies,
and the choice to include certain frequencies themselves in the chart.
In the Second Supplemental Response, the Petitioning Counties
[[Page 39597]]
again claim that the chart in the Joint Petition ``demonstrates that
the Petitioning Counties are oriented toward the Eastern Time Zone.''
In order to supplement that claim, the Petitioning Counties submitted a
second set of charts in Appendix C to the Second Supplemental Response
(not ``Appendix B'' as referenced in the Second Supplemental Response).
Rather than including the three strongest signals available in each of
the respective counties, these charts provide more specific
information, including all radio stations (both FM and AM) and the
major city of the listening audience of each petitioning county:
Washington in Davies, Jasper in Dubois, Vincennes in Knox, Loogootee in
Martin, and Petersburg in Pike. Based on classifications by https://
www.radio-locator.com, the chart arranges the stations in order of
strength of signal to the listening area, with the strongest signals
listed first. The chart also includes the current time zone of the
radio signal's origin and the time zone if the petition were granted.
The only difference between the chart in the Joint Petition and the
chart in the Second Supplemental Response is the differing time zone
origin. Stations (both FM and AM) that originated in the Petitioning
Counties would move from the Central Time Zone to the Eastern Time
Zone. With such a uniform shift, it is not clear that a change in time
zone would serve the convenience of commerce. Furthermore, DOT
questions whether signal strength is sufficient evidence to support the
conclusion that the particular time zone matters for radio
broadcasting. The Petitioning Counties have not shown how having a
strong signal translates into an increased audience nor have they
accounted for the type of radio programming that is being offered.
With regard to television broadcasting, the Joint Petition includes
a chart listing the TV stations for the Petitioning Counties, the city
and county where each station is located, and the time zone of the
station if the petition were granted. In addition, the Joint Petition
indicates that the National Weather Service Center serving four of the
Petitioning Counties (Daviess, Knox, Martin, and Dubois) is in the
Eastern Time Zone, while only one county (Pike) has the National
Weather Service Center in the Central Time Zone. The Petitioning
Counties claim that because ``most of the radio and television stations
that cover local news and weather in the Petitioning Counties is either
located within the Petitioning Counties themselves or are in counties
in the Eastern Time Zone, the convenience of commerce is best served by
moving the Petitioning Counties to Eastern Time.''
Because the Joint Petition's claims that ``these counties are
served by various cable systems and a variety of satellite systems,''
DOT requested that the Petitioning Counties list the channels offered
by any cable providers in each county that are locally generated and
the location and time zone of those broadcasts. In the Second
Supplemental Response, the Petitioning Counties provide a chart
indicating the Designated Market Area and the significantly viewed
channels for each County with the city and county where the station is
located as well as the current time zone and the projected time zone if
the Joint Petition were granted. The only significant change in time
zone involves stations located within the Petitioning Counties
themselves, which move from the Central Time Zone to the Eastern Time
Zone.
In further support of a change to the Eastern Time Zone, in the
Second Supplemental Response, the Petitioning Counties state that,
under the status quo, ``viewers in the Petitioning Counties may miss
their news because it comes on at 5 a.m. in the morning and at 4 p.m.
in the evening.'' On the other hand, if the Joint Petition were
granted, the Petitioning Counties simply argue that ``the majority of
viewers in the Petitioning Counties who work 8 a.m. to 5 p.m. (and
currently receive their programming from a station operating on Eastern
Time) will receive their local news before going to work in the morning
and after they return from work in the evening.'' Seeking clarification
of this argument and additional justification, DOT wrote to the
Petition Counties and noted that each of the Petitioning Counties
receives a signal that originates in the Central Time Zone. In the
Third Supplemental Response, the Petitioning Counties assert,
``Convenience of commerce is served by providing viewers with better
access to the market designated to provide them coverage'' and refer to
significantly viewed stations, which are the most viewed stations. The
significantly reviewed stations in the three Petitioning Counties that
are in the Terre Haute Designated Market Area are in the Eastern Time
Zone.
The Petitioning Counties have not provided sufficient information
concerning the television/radio broadcasting aspect of the convenience
for commerce standard to justify proposing to change the time zone
boundary. DOT questions whether radio signal strength is enough
evidence to support proposing a change in time zone. In addition, the
majority of television signals become aligned with the Eastern Time
Zone because the Counties have petitioned to move as a single unit. DOT
seeks comments on the information submitted by the Petitioning Counties
and requests any additional information on television and radio
broadcasting, including audience size in the Petitioning Counties, that
would aid in determining whether a time zone change for these Counties
would serve the convenience of commerce.
Newspapers
Only three out of the five original individual petitions, Dubois,
Knox, and Martin Counties, discussed newspaper distribution numbers
within their counties. These three petitions emphasized that the
primary newspapers delivered are local daily newspapers. Nevertheless,
the original Dubois County petition acknowledged receipt of newspapers
from Evansville in the Central Time Zone and Louisville in the Eastern
Time Zone. The original Knox County petition also noted that there is a
``substantial circulation'' of the Evansville Courier, and that
residents also receive newspapers from Terre Haute and Indianapolis,
both in the Eastern Time Zone.
The Joint Petition expounds on the idea that the Petitioning
Counties are largely served by their local newspapers. The Joint
Petition states that residents of the Petitioning Counties rely on
other newspapers published in or adjacent to their own counties, ``all
of which are already in or are petitioning to be in the Eastern Time
Zone'' and thereby ``likely serve the advertising needs of local
businesses.'' The Joint Petition acknowledges that the Petitioning
Counties are served by both the Indianapolis Star (with a total
circulation of 4,251) and the Evansville Courier & Press (with a total
circulation of 12,740). However, the Joint Petition claims that these
papers focus almost exclusively on national news and the local news
particular to their cities, Indianapolis and Evansville. The Second
Supplemental Response supports this claim by stating that ``[t]here is
very little if any advertising by companies doing business in the
Petitioning Counties.'' The Second Supplemental Response also notes
that the ``vast majority'' of businesses advertising in the Courier and
Press are located in Evansville or Henderson, Kentucky (both in the
Central Time Zone) to support the claim that those newspapers primarily
serve the
[[Page 39598]]
communities in the immediate vicinity of the city. (The Second
Supplemental Response also corrected the Joint Petition and
acknowledged that the Courier and Press is distributed in Martin
County.)
The Joint Petition includes a chart that lists the names and
circulation numbers of the local newspapers serving each of the
Petitioning Counties, as well as the County and the time zone of
publication if the petition is granted. For example, for Daviess
County, the chart indicates that the Washington Times-Herald, with a
weekly circulation of 6,459, is published in Daviess, which will be
moved to the Eastern Time Zone if the petition is granted. In addition,
the Washington Extra, another local newspaper identified in the chart,
is published in Daviess County and (like the Washington Times-Herald)
has a significantly higher weekly circulation in Daviess County than
either the Indianapolis Star (496) or the Evansville Courier & Press
(92). In total, all four local newspapers serving Daviess County are
published within the Petitioning Counties. This pattern is consistent
with the circulation patterns in the other Petitioning Counties as
well, where the total circulation for the main local newspaper
published in each county far outweighs the circulation for either the
Indianapolis Star or the Evansville Courier & Press.
There are only two local newspapers shown in the chart that are
published outside of the Petitioning Counties: the Paoli News
Republican, which is published in Orange and has a weekly circulation
of 400 in Dubois County; and the Bedford Times-Mail, which is published
in Lawrence County and has a negligible weekly circulation in both
Dubois and Martin Counties. Both of these newspapers are published in
the Eastern Time Zone and would continue to be published in the Eastern
Time Zone if the Joint Petition were granted. The remaining local
newspapers are all published in one of the five Petitioning Counties.
According to the Joint Petition and reiterated in the Second
Supplemental Response, these counties are served by a number of papers
published locally, which ``likely serve the advertising needs of local
businesses.'' The Second Supplemental Response claims, ``the lack of
advertising by companies located in the Petitioning Counties suggests a
lack of connection to the Evansville area.'' (Emphasis added.) The
Second Supplemental Response concludes that, with regard to newspaper
circulation, ``[t]his factors in favor of treating the Petitioning
Counties as a unit and moving them all to Eastern Time as a block.''
Because the overwhelming majority of local newspapers in circulation
within the Petitioning Counties are currently on Central Time, moving
them as a ``block'' would simply represent a universal shift of local
newspapers to Eastern Time if the petition were granted.
In the Third Supplemental Response, the Petitioning Counties
responded to DOT's question on whether the residents of the Petitioning
Counties might shop or use the services of businesses that advertise in
the Indianapolis Star or the Courier and Press. The Petitioning
Counties admitted that discussions with individuals in the Petitioning
Counties ``yielded different responses.'' There were no overwhelming
preferences for either the Eastern or Central Time Zone shops or
businesses advertising in these papers.
The Petitioning Counties have not submitted sufficient information
concerning the newspaper aspect of the convenience for commerce
standard to justify proposing to change the time zone boundary based.
DOT seeks comments on the information submitted by the Petitioning
Counties and requests any additional information on newspaper
circulation in the Petitioning Counties that would aid in determining
whether a time zone change for these Counties would serve the
convenience of commerce.
Bus and Passenger Rail Service
Only three out of the five original individual petitions, from
Dubois, Knox, and Pike Counties, discussed bus and rail service within
their Counties. The original Dubois County petition stated that Dubois
County is not served by passenger bus or rail service; however, such
service is available out of Louisville, Indianapolis or Evansville. The
original Knox County petition stated that its citizens can obtain bus
service from Evansville and Terre Haute, and that passenger rail
service is available in Effingham, Illinois and Indianapolis. The
original Pike County petition stated that the closest major passenger
rail and bus service is generally located in Evansville.
With regard to bus service, the Joint Petition points out that
three of the four Greyhound bus stations that are closest to the
Petitioning Counties are on Eastern Time. It states that these stations
are located in Indianapolis, Terre Haute, and Louisville in the Eastern
Time Zone, and in Evansville in the Central Time Zone. The Joint
Petition also claims that, although the Evansville station is
relatively close to many residents of the Petitioning Counties, ``it
only offers transportation to western and southern routes.'' On the
other hand, the stations located in the Eastern Time Zone offer much
broader service to the Petitioning Counties. For example, the Terre
Haute station offers connections both to southwest destinations and to
Indianapolis, which in turn provides service to all destinations. In
addition, the Louisville station offers transportation to north,
northeast, and southern destinations. Accordingly, the Joint Petition
uses these bus service routes as support to change back to the Eastern
Time Zone.
With regard to rail service, the Joint Petition focuses on
commercial rail carriers. The Joint Petition points out that, because
most of the existing major junction and division points for common
carriers are located in the Eastern Time Zone, it would best serve the
convenience of commerce to place all of the Petitioning Counties on
Eastern Time. Answering DOT's inquiry concerning the availability of
passenger rail service to its residents and how changing to Eastern
Time would impact such services, the Second Supplemental Response
states that ``[n]one of the railroad companies that run through
southwest Indiana provides passenger service in the area.'' Moreover,
it states that Amtrak, the only passenger rail company in Indiana, runs
on commercial lines only through northern and central Indiana (in the
Eastern Time Zone), far from the Petitioning Counties. As such, the
Petitioning Counties assert that ``[p]assenger rail schedules are not a
factor here.''
The Petitioning Counties have submitted sufficient information
based on the bus service aspect of the convenience of commerce standard
to justify proposing to change the time zone boundary. The Petitioning
Counties have provided information on the broader bus service available
in locations in the Eastern Time Zone. According to the Petitioning
Counties, passenger rail service is not at issue. DOT seeks comment on
the information submitted by the Petitioning Counties and requests any
additional information on bus and rail services in the Petitioning
Counties that would aid in determining whether a change in the time
zone for the Petitioning Counties would serve the convenience of
commerce.
Airports/Airline Services
The original petitions for Daviess, Knox and Pike Counties stated
that the closest airport providing passenger service to their
respective counties is located in Evansville. The original petition for
Dubois County stated that
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the airport in the County serves primarily private business planes and
lists Louisville, Evansville, and Indianapolis as ``major airports
providing service'' to its residents. The original petition for Martin
County noted that the nearest general airport is in Vanderburgh County
in the Central Time Zone, and also noted that Martin County residents
are served by local airports in Daviess and Dubois Counties.
The Joint Petition discusses the three major airports that could
potentially serve residents of the Petitioning Counties for commercial
passenger service: one in the Central Time Zone in Evansville and two
in the Eastern Time Zone in Indianapolis and Louisville. The Joint
Petition acknowledges that the Evansville Regional Airport is the
closest geographically for many residents in some parts of the
Petitioning Counties. However, despite this proximity, the Joint
Petition claims that, according to ``travel agents who serve residents
in the Petitioning Counties,'' it is more expensive to fly out of
Evansville and that the Evansville airport offers ``very few direct
connections.'' The Joint Petition also states that Evansville offers
direct flights to only six destinations: Chicago (O'Hare), Cincinnati,
Atlanta, Memphis, Detroit, and Dallas. In contrast, the Joint Petition
notes that the Indianapolis International Airport in the Eastern Time
Zone services 34 destinations, while the Louisville International
Airport, also in the Eastern Time Zone, services 28 destinations. The
Joint Petition declares that ``Indianapolis is one of the top jumping-
off points for air travelers from the Petitioning Counties.'' To
support this claim, the Joint Petition again relies on travel agents
who serve residents in the Petitioning Counties and have reported that
``70 to 75% of their customers fly out of Indianapolis or Louisville
for reasons of cost or convenience.'' The Joint Petition does not offer
any specific information regarding whether these are business or
leisure travelers, the destination of these travelers, or whether the
location, and therefore, the relevant time zone of the airport affected
their choice. In addition, the Joint Petition, citing information
obtained from an employee of NSWC Crane, points out that 80% of the
employee travelers from Crane military base (located in Martin County)
use the Indianapolis airport.
The Joint Petition also provides detailed information regarding
local service airports that are situated within or near the Petitioning
Counties, and states that such ``airports provide county-based business
with direct air travel access.'' The Joint Petition maintains that
nearly all of these Indiana-based local airports would be in the
Eastern Time Zone if the Petition were granted. However, the Second
Supplemental Response clarifies that, although they are the ``nearest
airports'' in terms of geographic location, none of the local airports
situated in the Petitioning Counties provides commercial passenger
service.
The Joint Petition also notes that the two closest hubs of the
largest private express package carriers serving the Petitioning
Counties, United Parcel Service and Federal Express, are situated in
the Eastern Time Zone, in Indianapolis and in Louisville, and that air
travel for cargo is thus oriented toward counties that are already in
the Eastern Time Zone.
The Petitioning Counties have not submitted sufficient information
concerning the airports/airline services aspect of the convenience of
commerce standard to justify proposing to change the time zone
boundary. DOT seeks comment on the information submitted by the
Petitioning Counties and requests any additional information on airport
and airlines services in the Petitioning Counties that would aid in
determining whether changing the time zone for the Petitioning Counties
would serve the convenience of commerce.
Worker Commuting Patterns
The Joint Petition claims that the majority of workers in the
Petitioning Counties live and work in their home counties. For those
who work outside of their home counties, the Joint Petition states,
``Of those migrating to a Petitioning County for work, the majority
come from locations in the Eastern Time Zone. Of those leaving a
Petitioning County for work, the majority go to locations in the
Eastern Time Zone.'' The Joint Petition relies on commuting patterns
data from the Indiana Department of Revenue. In the Third Supplemental
Response, the Petitioning Counties explained that the basis of their
statement was their consideration that the Petitioning Counties were in
the Eastern Time Zone, ``as Eastern Time is the Petitioning Counties'
desired time zone.'' The Third Supplemental goes on to say that the
commuting patterns demonstrate the strong connection among the
Petitioning Counties and recognizes that the commuters do not have a
large impact on the overall workforce in most of the Petitioning
Counties, with the exception of Martin County where commuters make up
46.9% of the Martin County workforce.
The Petitioning Counties have not submitted sufficient information
concerning the worker commuting patterns aspect of the convenience of
commerce standard to justify proposing to change in the time zone
boundary. DOT seeks comment on the information submitted by the
Petitioning Counties and requests any additional information on worker
commuting patterns in the Petitioning Counties that would aid in
determining whether changing their time zone boundaries.
The Community's Economy/Economic Development
While the original Daviess County petition did not mention anything
about the elements of the Daviess County economy, each of the other
original petitions discussed each County's individual economy and
economic development as one of the matters to consider as part of the
convenience of commerce standard. The original Dubois County petition
stated that the principle element of its economy is wood furniture
manufacturing, followed by agriculture. The original Knox County
petition mentioned healthcare and education as the major elements of
its economy. The original Pike County petition stated that its economy
is largely dependent on the local mining industry. The original Martin
County petition noted that the major elements of its economy are
``agriculture, timber, and technology connected to'' NSWC Crane. In
addition, the original Martin petition mentioned that the local economy
is expected to improve with the continued operation of NSWC Crane, and
that Martin County is working along with Daviess and Greene Counties to
develop a technology park adjacent to NSWC Crane.
The Joint Petition provides additional information about the major
elements of each County's economy, the state of the economy, and
economic development. The Joint Petition states that manufacturing and
agriculture are two of the leading industries in the local economies of
several of the Petitioning Counties. Consequently, in order to increase
their competitive edge over international competitors, Dubois County
seeks placement in the same time zone as a significant number of its
companies' suppliers and customers. Dubois County employers have
reported that 60-90% of their business relationships remain in the
Eastern Time Zone. Moreover, the Joint Petition refers to the President
of the Knox County Development Corporation who anticipates that
manufacturing growth experienced in that county should continue and
does not foresee a shift to the Eastern Time Zone as having a negative
impact. On the other hand, in
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Pike County, local business and industry have been tied to coal mining
and power generation and ``the industries that support them,''
including ``fabricating, welding, and shipping.'' One of the main coal
mine operators in Pike County, Solar Sources, Inc., has its
headquarters in Indianapolis and several mines in the Petitioning
Counties. As such, the Joint Petition states that shifting Pike County
to the Eastern Time Zone would serve the convenience of commerce by
helping to prevent the scheduling and shipping problems that have
coincided with the placement of the Petitioning Counties in the Central
Time Zone.
The Joint Petition also focuses on the economy of the Petitioning
Counties as a block, and states that the Petitioning Counties have
stronger economic and cultural connections to each other, and the
Indiana counties currently in the Eastern Time Zone, than they do with
other southern Indiana counties and the Evansville-based economy in the
Central Time Zone. The Petitioning Counties assert that one major
economic development project potentially shared by all of the
Petitioning Counties is the proposed extension of Interstate 69 (I-69)
through central and southwestern Indiana. The Petitioning Counties
point out that the expansion of I-69 will provide more economical and
efficient access to Indianapolis, although they cannot ``precisely
quantify the economic impact to the region of the planned highway
expansion.'' Nonetheless, because traffic will be able to flow north
from southwest Indiana to the larger network of highways that go
through Indianapolis, the highway will provide ``a crucial link to
central Indiana and beyond.'' As such, the Petitioning Counties contend
that they should be placed in the Eastern Time Zone in order to stay
associated with the infrastructure and markets that will be made more
accessible through the extension of I-69. The Second Supplemental
Response notes that updated information on the project ``has yet to be
completed.''
The Joint Petition also emphasizes the economic impact in both
Daviess and Martin Counties of the NSWC Crane, which it asserts serves
as a large regional employer and has entrances that currently span two
time zones and three counties. The Joint Petition notes that Daviess
County has partnered with the local and county redevelopment
commissions of Martin County and Greene County, which is located in the
Eastern Time Zone, to create a major technology park called ``The West
Gate @ Crane,'' which is ``expected to become Indiana's showcase
technology facility for intelligent and environmentally balanced
development.'' Moreover, the Joint Petition states that a shift to the
Eastern Time Zone would ``greatly simplify communications and improve
the support'' of NSWC Crane's primary customers, which are located in
the Eastern Time Zone. The Joint Petition notes that 67% of Crane's
employees commute from the Eastern to the Central Time Zone for work,
causing business efficiency and productivity to drop as a consequence
of irregular business hours and meetings, relying on information
provided by leaders of six employee organizations on NSWC Crane.
Moreover, the Second Supplemental Response points out that this
situation has gotten worse with the implementation of daylight savings
time in Indiana, which ``has moved 76% of NSWC Crane's workforce to the
Eastern Time Zone while the plant has remained on Central Time.'' The
Second Supplemental Response quotes the President of Crane Technology,
Inc. as stating that this has created a ``nightmare for scheduling and
employee productivity'' because ``the plant must operate two sets of
clocks to complete its business'' and ``virtually all employees
strongly desire a move that would bring all workers on the same time.''
The Third Supplemental Response says that EG&G Technical Services,
Crane, is ``a major contractor supporting'' NSWC Crane and states that,
according to this contractor, ``core business hours have been reduced''
and this change ``adversely impacts workload execution and delays
meetings and decisions.'' No information was provided by officials from
NSCW Crane.
The Petitioning Counties have submitted sufficient information
concerning the community's economy/economic development aspect of the
convenience of commerce standard to justify proposing to change in the
time zone boundary. DOT solicits further information and data
supporting or rebutting the information supplied by the Petitioning
Counties and how it supports a change in the time zone for the
convenience of commerce.
Schools, Recreation, Health Care, or Religious Worship
With regard to schools, the original Daviess County petition stated
that the closest State college is the University of Southern Indiana
(USI) in Evansville in the Central Time Zone. The original Dubois
County petition stated that the majority of students leaving the
community for post-high school education attend universities in the
Eastern Time Zone, although ``a number'' attend schools in Evansville.
The original Knox County petition pointed out that residents who leave
the community for school go to Illinois, or Gibson or Vanderburgh
Counties, all in the Central Time Zone. The original Martin County
petition stated that the primary local outlets for higher education
were in the Central Time Zone and include USI , IVY Tech, and the
University of Evansville, in Vanderburgh County; Vincennes University
with campuses in Knox and Dubois Counties; and Oakland City University
in Gibson County. The original Pike petition did not mention where its
citizens go for higher education.
Unlike the original petitions which focused on higher education,
the Joint Petition focuses on primary and secondary education,
including sporting events, and also on vocational students. The Joint
Petition notes that there are 15 school districts covering the five
Petitioning Counties. No school district in the Petitioning Counties is
in more than one time zone. The Joint Petition points out, however,
that schools in these districts compete in athletic events against
schools that are located in other time zones. Consequently, ``many away
games have to be played in counties that are already in the Eastern
Time Zone,'' which causes ``time-related confusion of both students and
parents.'' To support this claim, the Joint Petition cites to the
football schedule for North Daviess High School in Daviess County,
which includes 6 games in the Eastern Time Zone (or 67% of its games).
In the Second Supplemental Response, the Petitioning Counties provide
their high school basketball schedules stating, ``If the Petitioning
Counties are shifted to the Eastern Time Zone, there will be a
reduction in the number of games played in differing time zones from 27
to 18.'' The Second Supplemental Response explained that this would
``reduce the games played in different time zones to between 6% and
17%,'' depending on the school. The Second Supplemental Response also
points out that only one high school, Pike Central, would play more
games in a time zone different from their own, if the Joint Petition
were granted. The Second Supplemental Response concludes, ``Based on
the significant reduction of games played outside the school's time
zone in four out of the five Petitioning Counties, a move to Eastern
Time best serves the convenience of commerce by easing time-related
confusion of both students and parents.''
The Joint Petition states that students in the Petitioning Counties
who attend
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vocational schools would also benefit from their counties being
switched to the Eastern Time Zone and provided statistics for
vocational students in Martin County. The Exhibit to the Joint Petition
indicates that 15 students must travel back and forth across time zones
in the Shoals Community School Corporation in Martin County. The Second
Supplemental Response provides information on vocational students in
Pike and Dubois Counties, but not for Daviess and Knox Counties, noting
an inability to obtain statistics for these Counties. The Second
Supplemental Response mentions Twin Rivers Vocational School (a
cooperative between school corporations in Knox County, and Greene and
Sullivan Counties, which are already in the Eastern Time Zone) as a
school that currently has scheduling difficulties related to the
different time zones. In summary, approximately 67 vocational students
are affected by the time zone differences.
With regard to recreation, the original Daviess County petition
stated that the largest metropolitan area where its citizens transact
business is Evansville. The original Dubois County petition noted that
``major recreational events'' would be in either the Eastern or Central
Time Zones. The original Knox County petition pointed out that
residents who leave the community for recreation go to Illinois, or
Gibson or Vanderburgh Counties, all in the Central Time Zone. The
original Martin County petition listed Daviess, Dubois, Knox, and
Vanderburgh Counties as the primary recreational outlets for its
citizens. The original Pike County petition states that ``by far the
majority of any entertainment available to the citizens of Pike is
located in Evansville.''
The Joint Petition notes, ``Recreational facilities are distributed
fairly evenly throughout the Petitioning Counties,'' and that
``residents therefore typically do not have to cross time zones to
participate in a sporting activity.'' The Joint Petition specifically
refers to a variety of sporting events and opportunities for golfers,
boaters, tennis players, and fishers. On the other hand, the Joint
Petition states that if residents want to go to a college athletic
event at one of the State's three major universities, they must cross
into the Eastern Time Zone.
DOT requested comments from the Petitioning Counties on time zone
change as it relates to recreation and tourism surrounding the Holiday
World & Splashin' Safari amusement park in Spencer County because of
strong economic ties between several of the Petitioning Counties and
Spencer and Perry Counties, with its 1450 seasonal employees many who
come from the Petitioning Counties, and its nearly 900,000 visitors a
year. In the Second Supplemental Response, the Petitioning Counties
state that, ``Due to its lengthy hours of operation, Holiday World will
not be negatively impacted if the Petitioning Counties move to Eastern
Time.'' Rather, Holiday World stands to benefit, ``as visitors from
Petitioning Counties might arrive earlier in the day due to their being
an hour ahead.'' The Second Supplemental Response did not provide a
source for these assertions.
In the Second Supplemental Response, the Petitioning Counties
identify the two other attractions in the region: the French Lick
Casino and Resort, located in Orange County, in the Eastern Time Zone,
and Patoka Lakes located in Dubois, Orange, and Crawford Counties, in
both the Eastern and Central Time Zones. In the Third Supplemental
Response, the Petitioning Counties provide more detailed information
about these attractions. The French Lick Casino re-opened at the end of
October, 2006 and employs 1400 workers. From its opening through March
2007, there had been 520,367 visitors. The fishing tournaments at
Patoka Lakes attract between 750,000 and 1,000,000 visitors. The Third
Supplemental Response adds an attraction not mentioned in the Joint
Petition or the Second Supplemental Response, Paoli Peaks, a ski resort
in Orange County that attracts 100,000 visitors annually.
With regard to health care, the original individual petitions for
Dubois County stated that the citizens of their counties receive
ordinary medical care within their respective county. For more
specialized medical care, the original Dubois County petition stated
that its citizens go to Evansville, Indianapolis, and Louisville. The
original Knox County petition pointed out that residents who leave the
community for health care go to Illinois, or Gibson or Vanderburgh
Counties, all in the Central Time Zone. The original Martin County
petition stated that a vast majority of its residents utilize hospitals
in Daviess, Dubois, and Knox Counties. The original Martin County
petition cites Evansville as the closest location with a major medical
center. The original petitions for Daviess and Pike Counties did not
mention where its citizens receive medical care.
The Joint Petition includes a chart indicating that, with the
exception of Lawrence County Memorial in Lawrence County, Indiana, all
of the hospitals located closest to the Petitioning Counties are
currently located in the Central Time Zone. The Joint Petition also
states that the best and closest specialty hospitals are located in
Indianapolis and Louisville, both in the Eastern Time Zone, and that
``there are no comparable hospitals with world-renowned specialists and
facilities located in the Petitioning Counties.'' In the Second
Supplemental Response, the Petitioning Coun