Application for the Cruise Ship CORAL PRINCESS, Review for Inclusion in the Shipboard Technology Evaluation Program; Final Environmental Assessment and Finding of No Significant Impact, 72817-72819 [E8-28473]
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rwilkins on PROD1PC63 with NOTICES
Federal Register / Vol. 73, No. 231 / Monday, December 1, 2008 / Notices
level upon discharge from the ship. The
Coast Guard has determined that they
are not a long term or cumulative hazard
on the receiving water because of their
non-persistent nature.
One commenter stated that the
information found in Appendix E
should be discussed in the body of the
document. The commenter also stated
that the possibility of residual ClO2
discharge was discussed in the
Appendix, but the potential amounts of
these discharges should be discussed
earlier in the document.
The Coast Guard disagrees with this
comment. The specific chemical
equations describing the outcome are
beyond the scope of the FEA, however,
they are provided in the Appendix so
that interested parties may verify the
conclusions on a scientific basis.
One commenter stated that they did
not object to the proposed project, but
if this program were to expand, they
would recommend review of the
environmental assessment by the New
Jersey Division of Water Quality
(NJDEP). The commenter also stated that
if the determination was made that a
ship is a fixed pipe discharger, a
discharge permit should be required,
and reporting requirements should be
imposed.
The Coast Guard appreciates the
comment and will inform NJDEP of all
applicable future STEP vessels.
All of the commenters stated their
support and approval for the
ATLANTIC COMPASS acceptance into
the STEP, and recommended that the
application should be granted.
The Coast Guard appreciates all of the
comments and support for including the
ATLANTIC COMPASS into STEP.
FINAL ENVIRONMENTAL
ASSESSMENT: The Final PEA for STEP
identified and examined the reasonable
alternatives available to evaluate novel
ballast water management systems for
effectiveness against nonindigenous
species (NIS) transportation by ships’
ballast water.
The FEA for acceptance of the
ATLANTIC COMPASS into the STEP
and the subsequent operation of the
experimental treatment system analyzed
the no action alternative and one action
alternative that could fulfill the
purpose, and need of identifying
suitable technologies capable of
preventing the transportation of NIS in
ships ballast water. Specifically, the
FEA for the ATLANTIC COMPASS
acceptance into the STEP is tiered off of
the PEA for the STEP, and considers the
potential impacts to the environment
from the operation of the treatment
system on the ATLANTIC COMPASS,
by examining the functioning of the
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system, the operational practices of the
vessel, and the potential affects on
discharge water quality.
This notice is issued under authority
of the National Environmental Policy
Act of 1969 (Section 102(2)(c)), as
implemented by the Council of
Environmental Quality regulations (40
CFR parts 1500–1508) and Coast Guard
Commandant Instruction M16475.1D.
Dated: November 21, 2008.
Brian M. Salerno,
Rear Admiral, U.S. Coast Guard, Assistant
Commandant for Marine Safety, Security and
Stewardship.
[FR Doc. E8–28470 Filed 11–28–08; 8:45 am]
BILLING CODE 4910–15–P
DEPARTMENT OF HOMELAND
SECURITY
Coast Guard
[Docket No. USCG–2007–0040]
Application for the Cruise Ship CORAL
PRINCESS, Review for Inclusion in the
Shipboard Technology Evaluation
Program; Final Environmental
Assessment and Finding of No
Significant Impact
Coast Guard, DHS.
Notice of availability.
AGENCY:
ACTION:
SUMMARY: The Coast Guard announces
the availability of the Final
Environmental Assessment (FEA) and
Finding of No Significant Impact
(FONSI) that evaluated the potential
environmental impacts resulting from
accepting the cruise ship CORAL
PRINCESS into the Shipboard
Technology Evaluation Program (STEP).
The CORAL PRINCESS runs four
regular cruising routes that include
Alaska, California, the Panama Canal,
the U.S. Virgin Islands and Florida.
Under the STEP, the CORAL PRINCESS
will be using and testing the Hyde
Marine, INC. Guardian Ballast Water
Treatment System, when the vessel
operates in U.S. waters.
ADDRESSES: Comments and material
received from the public, as well as
documents mentioned in this notice as
being available in the docket, are part of
the docket USCG–2007–0040. These
documents are available for inspection
or copying at the Docket Management
Facility (M–30), U.S. Department of
Transportation, West Building Ground
Floor, Room W12–140, 1200 New Jersey
Avenue, SE., Washington, DC 20590–
0001, between 9 a.m. and 5 p.m.,
Monday through Friday, except Federal
holidays. You can also find all docketed
documents on the Federal Document
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72817
Management System at https://
www.regulations.gov, United States
Coast Guard docket number USCG–
2007–0040.
You may submit comments identified
by docket number USCG–2007–0040
using any one of the following methods:
(1) Federal eRulemaking Portal:
https://www.regulations.gov.
(2) Fax: 202–493–2251.
(3) Mail: Docket Management Facility
(M–30), U.S. Department of
Transportation, West Building Ground
Floor, Room W12–140, 1200 New Jersey
Avenue SE., Washington, DC 20590–
0001.
(4) Hand delivery: Same as mail
address above, between 9 a.m. and 5
p.m., Monday through Friday, except
Federal holidays. The telephone number
is 202–366–9329.
To avoid duplication, please use only
one of these methods.
FOR FURTHER INFORMATION CONTACT: If
you have questions on this assessment
please contact LCDR Brian Moore at
202–372–1434 or e-mail:
brian.e.moore@uscg.mil. If you have
questions on viewing or submitting
material to the docket, call Renee V.
Wright, Program Manager, Docket
Operations, telephone 202–366–9826.
SUPPLEMENTARY INFORMATION: This
document has been tiered off the
Programmatic Environmental
Assessment (PEA) for the STEP dated
July 2004 (69 FR 71068, Dec. 8, 2004)
and was prepared in accordance with
the National Environmental Policy Act
of 1969 (Section 102 (2)(c)), as
implemented by the Council on
Environmental Quality Regulations (40
CFR parts 1500–1508) and Coast Guard
Commandant Instruction M16475.1D.
From these documents the Coast Guard
has prepared a FEA and FONSI for
accepting the CORAL PRINCESS into
the STEP.
Response to Comments: The Coast
Guard requested comments on the Draft
Environmental Assessment (DEA) when
the Notice of Availability and Request
for Public Comments was published on
Friday, April 4, 2008 (73 FR 18544, Apr.
4, 2008). The Coast Guard received 19
substantive comments total from 2
agencies. The Coast Guard has
responded to all of the comments that
were within the scope of DEA.
Both commenters stated their support
for the CORAL PRINCESS acceptance
into the STEP, and that the application
should be granted.
The Coast Guard appreciates the
support for including the CORAL
PRINCESS into the STEP.
One commenter asked why California
and the U.S. Virgin Islands (USVI) were
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not included in the assessment as
possible discharge ports, while Florida
and Alaska were included.
The California port was not included
because the FEA only addressed ports
where ballast water discharge will take
place. The vessel will not discharge
ballast water into California State
waters. Therefore, no discussion of
California ports has been included. The
USVI ports were included in the
applicable sections of the DEA and FEA.
One commenter asked for clarification
regarding Table 2–1. The commenter
questioned the allotted number of port
arrivals, and stated that a vessel would
make significantly more arrivals at those
10 ports.
The Coast Guard agrees with the
comment; there may be up to 18 arrivals
at any of the ports noted in the DEA and
has changed this number accordingly in
the FEA. However, this does not mean
there would be an associated
proportional increase in the amount of
treated ballast water (BW) that would be
discharged into port. The vessel
infrequently takes on BW at any port
and on the rare occasions when it does,
it typically discharges that water prior
to departure. Therefore, the additional
number of port visits does not
necessarily result in an increase in the
amount of water treated with the system
or carried to a different port or place
and discharged.
One commenter asked if the CORAL
PRINCESS would be treating ballast
during all ballasting operations from
years one through five, and if the testing
in the other years will be for operation
and maintenance.
The Coast Guard has clarified this
issue by adding a summary of the STEP
procedures into the introduction of the
FEA.
One commenter asked how long it
would take a vessel to ballast, and if the
filter is backflushed at the end of
ballasting. The commenter also asked if
the filtered organisms will be returned
to their point of uptake.
The Coast Guard has determined that
the vessel normally takes on ballast at
sea and discharges that ballast also at
sea. If and when it does take on ballast
at sea (which has historically been small
amounts of water), the vessel will move
a short distance between the time
uptake began to the point at which the
filter would begin backflushing. During
this time, the Coast Guard believes the
vessel will take approximately a half
hour to fill a BW tank completely at the
ballast water pumping rate (250 m3/hr).
At the vessel’s normal operating speeds,
(12–22 kts) it will have traveled less
than 20 nautical miles in this time.
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16:47 Nov 28, 2008
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One commenter requested a list of the
State codes for turbidity requirements
and interpretations on how the
assessment’s findings compare to the
State code.
The Coast Guard disagrees with the
request. In both the PEA and this FEA,
the potential impacts due to turbidity
were considered and were deemed to be
negligible; therefore the additional
background information requested
would unnecessarily encumber the FEA,
detracting from its purpose.
Two comments asked if the 55
microns referred to the length/width of
the mesh openings (typical for 55
micron mesh nets), or the diagonal
opening. The comments expressed
concern that if the length/width is 55
microns, the diagonal length would be
approximately 78 microns and this
would allow organisms larger than 55
microns to pass through the filter.
The Coast Guard, in reviewing the
STEP application package, has
determined that the filtration system has
an actual opening dimension of 55
microns using stacked filtration discs,
rather than the mesh screen type
assumed by the comments. With respect
to the commenters’ other concern, the
Coast Guard notes that the initial
filtration stage is only the first part of
the overall treatment system. The
purpose of the experimentation
conducted during the vessel’s
participation in the STEP is to evaluate
the efficacy of the entire treatment
system in reducing the discharge of
organisms.
One commenter asked for clarification
regarding the statement ‘‘* * * at 90%
UV [Ultraviolet] transmittance in the
water.’’ The commenter asked if the
90% transmittance is typical of the
water that would be taken up at the
specific ports described in the
assessment. The commenter also
expressed that this value would
decrease in turbid water, especially in
the Alaskan waters that were highly
turbid due to glacial melt runoff.
The Coast Guard acknowledges that
many source waters may have varying
transmittance values. However, the UV
treatment occurs after the water has
passed through the filtration system,
which is intended to remove at least
some of the suspended materials which
would block UV transmission as well as
removing larger organisms. The Coast
Guard notes that the point of the
experiments is to evaluate the efficacy
of the treatment system under the
operating conditions experienced by the
vessel.
One commenter asked if there was
any specific, pertinent information on
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Alaskan wetlands that should be
included in the FEA.
While there is significant information
concerning Alaskan wetlands available,
the Coast Guard disagrees that the
description of sensitive areas in Alaskan
waters as presented in the DEA is
insufficient to make a decision
regarding the STEP acceptance. The
vessel will only be visiting areas that it
is already visiting and will not be
discharging treated water in any such
wetland areas.
One commenter asked if any Essential
Fish Habitat was within the Port
Everglades region.
The available information on
Essential Fish Habitat (EFH) shows that
the Port Everglades area has the
following EFH: Coastal Migratory
Pelagics and Coral, Coral Reef, and Live/
Hard Bottom Habitat. Based on feedback
from the U.S. Fish and Wildlife Service
and the National Oceanic and
Atmospheric Administration the
proposed action will have no negative
impact to EFH in Port Everglades.
One commenter asked that more
detail regarding the area(s) around
several of the ports be included.
The Coast Guard has added additional
detail to the description of Port
Everglades and USVI waters.
One commenter asked how many and
what types of invasive species are found
around Port Everglades. The commenter
also asked if any of these species have
been known to cause any environmental
or economic harm.
It is not possible to make a definitive
statement about exact numbers of
invasive species in any given water
body. Some notable species have been
identified and their economic and
environmental harm estimated. This
information is readily available through
numerous Nonindigenous Species (NIS)
focused agency reports and work
groups. The Coast Guard disagrees that
enumeration of specific invasive species
occurring in the relevant ports, and
further discussion of the potential risk
of transferring those specific species
from Florida to other places, is
necessary or useful for the purpose of
this FEA. Further, the purpose of any
ballast water management system being
evaluated under the STEP is to prevent
the transference of any organisms,
whether known to be invasive or not,
from one location to another.
One commenter requested a list of
NIS and if any of these species have
been known to cause any environmental
or economic harm.
The Coast Guard has determined that
the problem of NIS in U.S. waters is the
basis of the STEP, and research on NIS
and their impacts is readily available
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from numerous sources. This question is
outside the scope of the FEA, and in
keeping with CEQ regulations for
conducting FEAs, the extensive
supporting information is not repeated
here.
One commenter asked for clarification
regarding the statement ‘‘Small
percentages of estuarine areas in the
ports of interest were rated ‘poor’
* * *’’. The commenter asked if it
would be possible to avoid discharging
in these areas, or to list which ports
have poor light conditions. The
commenter also asked what was meant
by the description ‘‘small percentages’’.
The Coast Guard has determined that
the areas that are rated as poor for light
conditions are rated so due to the
natural ambient condition of glacial till
suspended in the water. While it could
be possible for the CORAL PRINCESS to
restrict its ballasting locations, the Coast
Guard disagrees with the need to do so
in these or any other areas. The very
small volumes of water which could
potentially be discharged during
operation of the ship’s BWMS have been
considered and determined negligible.
‘‘Small percentages’’ refers to the waters
in the immediate vicinity of glacier
termini.
One commenter stated that the
environmental consequences are
generalized across all regions, with little
to no specific reference to any of the
previously described discharge ports.
The commenter asked that specific
examples of environmental
consequences for the various habitats/
ports be provided.
The Coast Guard has determined that
the water quality impacts on the ballast
water taken aboard the CORAL
PRINCESS will be negligible; therefore,
generalization of the environmental
impacts invalid. The addition of
repetitive specific impacts in effected
ports would unnecessarily lengthen the
FEA. Based on the service history of the
CORAL PRINCESS, most ballasting is
done at sea and is in small amounts.
When harbor water is intentionally
pumped aboard for the tests, it will also
be discharged at sea following
treatment. The proposal does provide
for the CORAL PRINCESS to use the
Ballast Water Management System as
needed and occasionally a need to
ballast in a port area may be
encountered. However, the Coast Guard
considers the potential for any adverse
effects from ballasting, filtering, treating
with ultraviolet light and discharging
relatively small quantities of sea water
back to its source to be negligible for all
potential discharge locations. As a result
of the NEPA process, the only known
impacts are a slight beneficial impact on
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16:47 Nov 28, 2008
Jkt 217001
biological resources and socioeconomic
resources. Therefore, further describing
habitat or location specific impacts is
not necessary.
One commenter asked what
references and/or data were used to
support the conclusions about water
quality impacts of the proposed action
alternative.
The Coast Guard has used the
following rationale for the description of
likely impacts of using the system. The
ship normally takes on and discharges
ballast at sea. In these cases, typically
there are fewer organisms in offshore
waters compared to estuarine areas, and
hence less organic matter to be taken
aboard, treated and discharged.
Similarly in the cases where the ship
may take on and discharge ballast in
port, the use of the treatment system
should have no measurable adverse
effects on the water quality of the
ecosystem where the ballast water is
discharged.
One commenter asked how
nonindigenous species impact low
income and minority populations under
the no action alternative.
The Coast Guard has determined that
an example of a potential impact to a
low income or minority population
might be that a decline in abundance of
a species targeted by subsistence
fisheries could occur as a result of the
introduction of nonindigenous
competitors, predators, or pathogens.
Please refer to the STEP Programmatic
Environmental Assessment that also
evaluated the impacts to low income
and minority populations.
Based on the information provided in
the DEA, one commenter stated that the
STEP program meets their
environmental standards, and is not
likely to adversely affect federally listed
threatened or endangered species under
their jurisdiction.
The Coast Guard acknowledges the
comment and support for the CORAL
PRINCESS and the STEP application.
Final Environmental Assessment: The
Final PEA for the STEP identified and
examined the reasonable alternatives
available to evaluate novel ballast water
management systems for effectiveness
against NIS transportation by ships’
ballast water.
The FEA for acceptance of the CORAL
PRINCESS into the STEP, and the
subsequent operation of the
experimental treatment system,
analyzed the no action alternative and
one action alternative that could fulfill
the purpose and need of gaining
valuable scientific information on the
system’s efficacy and facilitating the
development of effective treatment
technologies capable of preventing the
PO 00000
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Fmt 4703
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72819
transportation of NIS in ships’ ballast
water. Specifically, the FEA for the
CORAL PRINCESS acceptance into the
STEP is tiered off of the PEA for the
STEP, and considers the potential
impacts to the environment from the
operation of the treatment system on the
CORAL PRINCESS by examining the
functioning of the system, the
operational practices of the vessel, and
the potential effects on discharge water
quality.
This notice is issued under authority
of the National Environmental Policy
Act of 1969 (Section 102 (2)(c)), as
implemented by the Council of
Environmental Quality regulations (40
CFR parts 1500–1508) and Coast Guard
Commandant Instruction M16475.1D.
Dated: November 21, 2008.
Brian M. Salerno,
Rear Admiral, U.S. Coast Guard, Assistant
Commandant for Marine Safety, Security and
Stewardship.
[FR Doc. E8–28473 Filed 11–28–08; 8:45 am]
BILLING CODE 4910–15–P
DEPARTMENT OF HOMELAND
SECURITY
Coast Guard
[Docket No. USCG–2007–0041]
Application for the Integrated Tug and
Barge MOKU PAHU, Review for
Inclusion in the Shipboard Technology
Evaluation Program; Final
Environmental Assessment and
Finding of No Significant Impact
Coast Guard, DHS.
Notice of availability.
AGENCY:
ACTION:
SUMMARY: The Coast Guard announces
the availability of the Final
Environmental Assessment (FEA) and
Finding of No Significant Impact
(FONSI) that evaluated the potential
environmental impacts resulting from
accepting the integrated tug and barge
MOKU PAHU into the Shipboard
Technology Evaluation Program (STEP).
Under the STEP, the MOKU PAHU will
be using, and testing, the EcochlorTM
Inc. Ballast Water Treatment System
(BWTS) as the vessel operates in U.S.
waters.
Comments and material
received from the public, as well as
documents mentioned in this notice as
being available in the docket, are part of
the docket USCG–2007–0041. These
documents are available for inspection
or copying at the Docket Management
Facility (M–30), U.S. Department of
Transportation, West Building Ground
Floor, Room W12–140, 1200 New Jersey
ADDRESSES:
E:\FR\FM\01DEN1.SGM
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Agencies
[Federal Register Volume 73, Number 231 (Monday, December 1, 2008)]
[Notices]
[Pages 72817-72819]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E8-28473]
-----------------------------------------------------------------------
DEPARTMENT OF HOMELAND SECURITY
Coast Guard
[Docket No. USCG-2007-0040]
Application for the Cruise Ship CORAL PRINCESS, Review for
Inclusion in the Shipboard Technology Evaluation Program; Final
Environmental Assessment and Finding of No Significant Impact
AGENCY: Coast Guard, DHS.
ACTION: Notice of availability.
-----------------------------------------------------------------------
SUMMARY: The Coast Guard announces the availability of the Final
Environmental Assessment (FEA) and Finding of No Significant Impact
(FONSI) that evaluated the potential environmental impacts resulting
from accepting the cruise ship CORAL PRINCESS into the Shipboard
Technology Evaluation Program (STEP). The CORAL PRINCESS runs four
regular cruising routes that include Alaska, California, the Panama
Canal, the U.S. Virgin Islands and Florida. Under the STEP, the CORAL
PRINCESS will be using and testing the Hyde Marine, INC. Guardian
Ballast Water Treatment System, when the vessel operates in U.S.
waters.
ADDRESSES: Comments and material received from the public, as well as
documents mentioned in this notice as being available in the docket,
are part of the docket USCG-2007-0040. These documents are available
for inspection or copying at the Docket Management Facility (M-30),
U.S. Department of Transportation, West Building Ground Floor, Room
W12-140, 1200 New Jersey Avenue, SE., Washington, DC 20590-0001,
between 9 a.m. and 5 p.m., Monday through Friday, except Federal
holidays. You can also find all docketed documents on the Federal
Document Management System at https://www.regulations.gov, United States
Coast Guard docket number USCG-2007-0040.
You may submit comments identified by docket number USCG-2007-0040
using any one of the following methods:
(1) Federal eRulemaking Portal: https://www.regulations.gov.
(2) Fax: 202-493-2251.
(3) Mail: Docket Management Facility (M-30), U.S. Department of
Transportation, West Building Ground Floor, Room W12-140, 1200 New
Jersey Avenue SE., Washington, DC 20590-0001.
(4) Hand delivery: Same as mail address above, between 9 a.m. and 5
p.m., Monday through Friday, except Federal holidays. The telephone
number is 202-366-9329.
To avoid duplication, please use only one of these methods.
FOR FURTHER INFORMATION CONTACT: If you have questions on this
assessment please contact LCDR Brian Moore at 202-372-1434 or e-mail:
brian.e.moore@uscg.mil. If you have questions on viewing or submitting
material to the docket, call Renee V. Wright, Program Manager, Docket
Operations, telephone 202-366-9826.
SUPPLEMENTARY INFORMATION: This document has been tiered off the
Programmatic Environmental Assessment (PEA) for the STEP dated July
2004 (69 FR 71068, Dec. 8, 2004) and was prepared in accordance with
the National Environmental Policy Act of 1969 (Section 102 (2)(c)), as
implemented by the Council on Environmental Quality Regulations (40 CFR
parts 1500-1508) and Coast Guard Commandant Instruction M16475.1D. From
these documents the Coast Guard has prepared a FEA and FONSI for
accepting the CORAL PRINCESS into the STEP.
Response to Comments: The Coast Guard requested comments on the
Draft Environmental Assessment (DEA) when the Notice of Availability
and Request for Public Comments was published on Friday, April 4, 2008
(73 FR 18544, Apr. 4, 2008). The Coast Guard received 19 substantive
comments total from 2 agencies. The Coast Guard has responded to all of
the comments that were within the scope of DEA.
Both commenters stated their support for the CORAL PRINCESS
acceptance into the STEP, and that the application should be granted.
The Coast Guard appreciates the support for including the CORAL
PRINCESS into the STEP.
One commenter asked why California and the U.S. Virgin Islands
(USVI) were
[[Page 72818]]
not included in the assessment as possible discharge ports, while
Florida and Alaska were included.
The California port was not included because the FEA only addressed
ports where ballast water discharge will take place. The vessel will
not discharge ballast water into California State waters. Therefore, no
discussion of California ports has been included. The USVI ports were
included in the applicable sections of the DEA and FEA.
One commenter asked for clarification regarding Table 2-1. The
commenter questioned the allotted number of port arrivals, and stated
that a vessel would make significantly more arrivals at those 10 ports.
The Coast Guard agrees with the comment; there may be up to 18
arrivals at any of the ports noted in the DEA and has changed this
number accordingly in the FEA. However, this does not mean there would
be an associated proportional increase in the amount of treated ballast
water (BW) that would be discharged into port. The vessel infrequently
takes on BW at any port and on the rare occasions when it does, it
typically discharges that water prior to departure. Therefore, the
additional number of port visits does not necessarily result in an
increase in the amount of water treated with the system or carried to a
different port or place and discharged.
One commenter asked if the CORAL PRINCESS would be treating ballast
during all ballasting operations from years one through five, and if
the testing in the other years will be for operation and maintenance.
The Coast Guard has clarified this issue by adding a summary of the
STEP procedures into the introduction of the FEA.
One commenter asked how long it would take a vessel to ballast, and
if the filter is backflushed at the end of ballasting. The commenter
also asked if the filtered organisms will be returned to their point of
uptake.
The Coast Guard has determined that the vessel normally takes on
ballast at sea and discharges that ballast also at sea. If and when it
does take on ballast at sea (which has historically been small amounts
of water), the vessel will move a short distance between the time
uptake began to the point at which the filter would begin backflushing.
During this time, the Coast Guard believes the vessel will take
approximately a half hour to fill a BW tank completely at the ballast
water pumping rate (250 m\3\/hr). At the vessel's normal operating
speeds, (12-22 kts) it will have traveled less than 20 nautical miles
in this time.
One commenter requested a list of the State codes for turbidity
requirements and interpretations on how the assessment's findings
compare to the State code.
The Coast Guard disagrees with the request. In both the PEA and
this FEA, the potential impacts due to turbidity were considered and
were deemed to be negligible; therefore the additional background
information requested would unnecessarily encumber the FEA, detracting
from its purpose.
Two comments asked if the 55 microns referred to the length/width
of the mesh openings (typical for 55 micron mesh nets), or the diagonal
opening. The comments expressed concern that if the length/width is 55
microns, the diagonal length would be approximately 78 microns and this
would allow organisms larger than 55 microns to pass through the
filter.
The Coast Guard, in reviewing the STEP application package, has
determined that the filtration system has an actual opening dimension
of 55 microns using stacked filtration discs, rather than the mesh
screen type assumed by the comments. With respect to the commenters'
other concern, the Coast Guard notes that the initial filtration stage
is only the first part of the overall treatment system. The purpose of
the experimentation conducted during the vessel's participation in the
STEP is to evaluate the efficacy of the entire treatment system in
reducing the discharge of organisms.
One commenter asked for clarification regarding the statement ``* *
* at 90% UV [Ultraviolet] transmittance in the water.'' The commenter
asked if the 90% transmittance is typical of the water that would be
taken up at the specific ports described in the assessment. The
commenter also expressed that this value would decrease in turbid
water, especially in the Alaskan waters that were highly turbid due to
glacial melt runoff.
The Coast Guard acknowledges that many source waters may have
varying transmittance values. However, the UV treatment occurs after
the water has passed through the filtration system, which is intended
to remove at least some of the suspended materials which would block UV
transmission as well as removing larger organisms. The Coast Guard
notes that the point of the experiments is to evaluate the efficacy of
the treatment system under the operating conditions experienced by the
vessel.
One commenter asked if there was any specific, pertinent
information on Alaskan wetlands that should be included in the FEA.
While there is significant information concerning Alaskan wetlands
available, the Coast Guard disagrees that the description of sensitive
areas in Alaskan waters as presented in the DEA is insufficient to make
a decision regarding the STEP acceptance. The vessel will only be
visiting areas that it is already visiting and will not be discharging
treated water in any such wetland areas.
One commenter asked if any Essential Fish Habitat was within the
Port Everglades region.
The available information on Essential Fish Habitat (EFH) shows
that the Port Everglades area has the following EFH: Coastal Migratory
Pelagics and Coral, Coral Reef, and Live/Hard Bottom Habitat. Based on
feedback from the U.S. Fish and Wildlife Service and the National
Oceanic and Atmospheric Administration the proposed action will have no
negative impact to EFH in Port Everglades.
One commenter asked that more detail regarding the area(s) around
several of the ports be included.
The Coast Guard has added additional detail to the description of
Port Everglades and USVI waters.
One commenter asked how many and what types of invasive species are
found around Port Everglades. The commenter also asked if any of these
species have been known to cause any environmental or economic harm.
It is not possible to make a definitive statement about exact
numbers of invasive species in any given water body. Some notable
species have been identified and their economic and environmental harm
estimated. This information is readily available through numerous
Nonindigenous Species (NIS) focused agency reports and work groups. The
Coast Guard disagrees that enumeration of specific invasive species
occurring in the relevant ports, and further discussion of the
potential risk of transferring those specific species from Florida to
other places, is necessary or useful for the purpose of this FEA.
Further, the purpose of any ballast water management system being
evaluated under the STEP is to prevent the transference of any
organisms, whether known to be invasive or not, from one location to
another.
One commenter requested a list of NIS and if any of these species
have been known to cause any environmental or economic harm.
The Coast Guard has determined that the problem of NIS in U.S.
waters is the basis of the STEP, and research on NIS and their impacts
is readily available
[[Page 72819]]
from numerous sources. This question is outside the scope of the FEA,
and in keeping with CEQ regulations for conducting FEAs, the extensive
supporting information is not repeated here.
One commenter asked for clarification regarding the statement
``Small percentages of estuarine areas in the ports of interest were
rated `poor' * * *''. The commenter asked if it would be possible to
avoid discharging in these areas, or to list which ports have poor
light conditions. The commenter also asked what was meant by the
description ``small percentages''.
The Coast Guard has determined that the areas that are rated as
poor for light conditions are rated so due to the natural ambient
condition of glacial till suspended in the water. While it could be
possible for the CORAL PRINCESS to restrict its ballasting locations,
the Coast Guard disagrees with the need to do so in these or any other
areas. The very small volumes of water which could potentially be
discharged during operation of the ship's BWMS have been considered and
determined negligible. ``Small percentages'' refers to the waters in
the immediate vicinity of glacier termini.
One commenter stated that the environmental consequences are
generalized across all regions, with little to no specific reference to
any of the previously described discharge ports. The commenter asked
that specific examples of environmental consequences for the various
habitats/ports be provided.
The Coast Guard has determined that the water quality impacts on
the ballast water taken aboard the CORAL PRINCESS will be negligible;
therefore, generalization of the environmental impacts invalid. The
addition of repetitive specific impacts in effected ports would
unnecessarily lengthen the FEA. Based on the service history of the
CORAL PRINCESS, most ballasting is done at sea and is in small amounts.
When harbor water is intentionally pumped aboard for the tests, it will
also be discharged at sea following treatment. The proposal does
provide for the CORAL PRINCESS to use the Ballast Water Management
System as needed and occasionally a need to ballast in a port area may
be encountered. However, the Coast Guard considers the potential for
any adverse effects from ballasting, filtering, treating with
ultraviolet light and discharging relatively small quantities of sea
water back to its source to be negligible for all potential discharge
locations. As a result of the NEPA process, the only known impacts are
a slight beneficial impact on biological resources and socioeconomic
resources. Therefore, further describing habitat or location specific
impacts is not necessary.
One commenter asked what references and/or data were used to
support the conclusions about water quality impacts of the proposed
action alternative.
The Coast Guard has used the following rationale for the
description of likely impacts of using the system. The ship normally
takes on and discharges ballast at sea. In these cases, typically there
are fewer organisms in offshore waters compared to estuarine areas, and
hence less organic matter to be taken aboard, treated and discharged.
Similarly in the cases where the ship may take on and discharge ballast
in port, the use of the treatment system should have no measurable
adverse effects on the water quality of the ecosystem where the ballast
water is discharged.
One commenter asked how nonindigenous species impact low income and
minority populations under the no action alternative.
The Coast Guard has determined that an example of a potential
impact to a low income or minority population might be that a decline
in abundance of a species targeted by subsistence fisheries could occur
as a result of the introduction of nonindigenous competitors,
predators, or pathogens. Please refer to the STEP Programmatic
Environmental Assessment that also evaluated the impacts to low income
and minority populations.
Based on the information provided in the DEA, one commenter stated
that the STEP program meets their environmental standards, and is not
likely to adversely affect federally listed threatened or endangered
species under their jurisdiction.
The Coast Guard acknowledges the comment and support for the CORAL
PRINCESS and the STEP application.
Final Environmental Assessment: The Final PEA for the STEP
identified and examined the reasonable alternatives available to
evaluate novel ballast water management systems for effectiveness
against NIS transportation by ships' ballast water.
The FEA for acceptance of the CORAL PRINCESS into the STEP, and the
subsequent operation of the experimental treatment system, analyzed the
no action alternative and one action alternative that could fulfill the
purpose and need of gaining valuable scientific information on the
system's efficacy and facilitating the development of effective
treatment technologies capable of preventing the transportation of NIS
in ships' ballast water. Specifically, the FEA for the CORAL PRINCESS
acceptance into the STEP is tiered off of the PEA for the STEP, and
considers the potential impacts to the environment from the operation
of the treatment system on the CORAL PRINCESS by examining the
functioning of the system, the operational practices of the vessel, and
the potential effects on discharge water quality.
This notice is issued under authority of the National Environmental
Policy Act of 1969 (Section 102 (2)(c)), as implemented by the Council
of Environmental Quality regulations (40 CFR parts 1500-1508) and Coast
Guard Commandant Instruction M16475.1D.
Dated: November 21, 2008.
Brian M. Salerno,
Rear Admiral, U.S. Coast Guard, Assistant Commandant for Marine Safety,
Security and Stewardship.
[FR Doc. E8-28473 Filed 11-28-08; 8:45 am]
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