Fisheries of the Exclusive Economic Zone Off Alaska; Steller Sea Lion Protection Measures for the Bering Sea and Aleutian Islands Groundfish Fisheries Off Alaska, 70285-70338 [2014-27658]
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Vol. 79
Tuesday,
No. 227
November 25, 2014
Part II
Department of Commerce
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National Oceanic and Atmospheric Administration
15 CFR Part 902
50 CFR Part 679
Fisheries of the Exclusive Economic Zone Off Alaska; Steller Sea Lion
Protection Measures for the Bering Sea and Aleutian Islands Groundfish
Fisheries Off Alaska; Final Rule
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Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
15 CFR Part 902
50 CFR Part 679
[Docket No. 140304195–4947–02]
RIN 0648–BE06
Fisheries of the Exclusive Economic
Zone Off Alaska; Steller Sea Lion
Protection Measures for the Bering
Sea and Aleutian Islands Groundfish
Fisheries Off Alaska
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Final rule.
AGENCY:
NMFS issues regulations to
implement Steller sea lion protection
measures to insure that groundfish
fisheries in the Bering Sea and Aleutian
Islands Management Area (BSAI) off
Alaska are not likely to jeopardize the
continued existence of the western
distinct population segment (WDPS) of
Steller sea lions or destroy or adversely
modify their designated critical habitat.
These management measures disperse
fishing effort temporally and spatially to
provide protection from potential
competition for important Steller sea
lion prey species. This action is
intended to protect the endangered
Steller sea lions, as required by the
Endangered Species Act, and to
minimize, to the extent practicable, the
economic impact of fishery management
measures, as required by the MagnusonStevens Fishery Conservation and
Management Act.
DATES: Effective December 26, 2014.
ADDRESSES: Electronic copies of:
• The Steller Sea Lion Protection
Measures for Groundfish Fisheries in
the Bering Sea and Aleutian Islands
Management Area Environmental
Impact Statement (EIS), the Record of
Decision, and the Regulatory Impact
Review/Initial Regulatory Flexibility
Analysis (RIR/IRFA) prepared for this
action are available from https://
www.regulations.gov or from the NMFS
Alaska Region Web site at https://
alaskafisheries.noaa.gov/
sustainablefisheries/sslpm/eis/
default.htm.
• The 2001 Biological Opinion for the
Authorization of the Bering Sea and
Aleutian Islands and Gulf of Alaska
Groundfish Fisheries (2001 BiOp), the
2010 Biological Opinion on the
Authorization of Groundfish Fisheries
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SUMMARY:
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under the Fishery Management Plans
(FMP BiOp), and the 2014 Biological
Opinion for the Authorization of Alaska
Groundfish Fisheries under the
Proposed Revised Steller Sea Lion
Protection Measures (2014 BiOp) are
available at https://
alaskafisheries.noaa.gov/
protectedresources/stellers/
section7.htm.
• The 2008 Revised Steller Sea Lion
Recovery Plan (2008 Recovery Plan) is
available from the NMFS Alaska Region
Web site at https://
alaskafisheries.noaa.gov/
protectedresources/stellers/
recovery.htm.
• The Fishery Management Plan for
Groundfish of the Bering Sea and
Aleutian Islands Management Area FMP
is available from the North Pacific
Fishery Management Council Web site
at https://www.npfmc.org/wp-content/
PDFdocuments/fmp/BSAI/BSAIfmp.pdf.
Written comments regarding the
burden-hour estimates or other aspects
of the collection-of-information
requirements contained in this final rule
may be submitted to NMFS at the above
address and by email to OIRA_
Submission@omb.eop.gov or fax to 202–
395–5806.
FOR FURTHER INFORMATION CONTACT:
Gretchen Harrington, 907–586–7228.
SUPPLEMENTARY INFORMATION: NMFS
published a proposed rule to implement
Steller sea lion protection measures on
July 1, 2014 (79 FR 37486). The
comment period on the proposed rule
ended on August 15, 2014. NMFS
received 17 letters of comments on the
proposed rule. Additional background
information and detail on this action is
provided in the proposed rule and is
briefly summarized in this final rule.
NMFS manages groundfish fisheries
in the exclusive economic zone (EEZ)
under the Fishery Management Plan for
Groundfish of the Bering Sea and
Aleutian Islands Management Area
(FMP). The North Pacific Fishery
Management Council (Council)
prepared the FMP under the authority of
the Magnuson-Stevens Fishery
Conservation and Management Act
(Magnuson-Stevens Act), 16 U.S.C.
1801, et seq. Regulations governing
fisheries and implementing the FMP
appear at 50 CFR parts 600 and 679.
NMFS has management responsibility
for certain threatened and endangered
species, including Steller sea lions,
under the Endangered Species Act
(ESA) of 1973, 16 U.S.C. 1531, et seq.
NMFS has the authority to promulgate
regulations to enforce provisions of the
ESA to protect such species. As the
action agency, NMFS is responsible for
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conducting a section 7 consultation to
insure that the Federal action of
authorizing the Alaska groundfish
fisheries is not likely to jeopardize the
continued existence of an ESA-listed
species or result in the destruction or
adverse modification of its designated
critical habitat. Under the provisions of
section 7 of the ESA, NMFS Alaska
Region Sustainable Fisheries Division
(SFD) is the action agency and consults
with the NMFS Alaska Region Protected
Resources Division (PRD) on the
impacts of groundfish fisheries for most
ESA-listed species of marine mammals,
including Steller sea lions.
NMFS listed the WDPS of Steller sea
lions as endangered under the ESA in
1997 (62 FR 24345, May 5, 1997).
Throughout this preamble, the term
‘‘Steller sea lions’’ means the WDPS of
Steller sea lions unless otherwise
specified. Steller sea lions are
distributed from Prince William Sound
through the Aleutian Islands in Alaska
and in Russia on the Kamchatka
peninsula, Kuril Islands, and the Sea of
Okhotsk. NMFS uses six sub-regions
within Alaska for trend and status
monitoring of Steller sea lions. These
sub-regions include the eastern Gulf of
Alaska (GOA), central GOA, and
western GOA, the eastern Aleutian
Islands/Bering Sea, central Aleutian
Islands, and the western Aleutian
Islands. A seventh sub-region is located
outside of the United States and is
commonly referred to as the Russian
sub-region because most of the Steller
sea lion population in that sub-region is
concentrated in Russia.
NMFS designated critical habitat for
Steller sea lions and identified haulouts,
rookeries, and foraging locations
throughout Alaska waters ranging
throughout the GOA, the Bering Sea,
and the Aleutian Islands (58 FR 45269,
August 27, 1993). Since publication of
critical habitat definitions in 1993 (see
50 CFR 226.202), NMFS has identified
19 additional haulouts in the BSAI and
the GOA as important areas for Steller
sea lions needing additional protection
from the potential effects of groundfish
fishing. More information and
justification for including these
haulouts are contained in the 2001 BiOp
(see ADDRESSES). NMFS is currently
considering revisions to the critical
habitat designation to take into account
new information that has become
available since NMFS designated
critical habitat in 1993 (79 FR 46392,
August 8, 2014).
Since listing Steller sea lions, NMFS
has implemented a number of
management measures, commonly
known as Steller sea lion protection
measures, to protect Steller sea lion prey
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from the potential effects of groundfish
fishing. Steller sea lion protection
measures disperse catch of groundfish
prey species in time (temporal
dispersion) and space (spatial
dispersion) through a variety of harvest
limitations and closure areas. Many of
these Steller sea lion protection
measures apply specifically to Atka
mackerel, Pacific cod, and pollock,
which are important prey species for
Steller sea lions.
Section 3.5.3 of the FMP, approved by
the Secretary of Commerce under the
Magnuson-Stevens Act, authorizes
regulations for fishery management
measures to protect marine mammals,
without requiring amendment of the
FMP itself (see ADDRESSES). Steller sea
lion protection measures for the Alaska
groundfish fisheries have been
implemented under this FMP authority
since 1998.
NMFS has revised the Steller sea lion
protection measures several times.
NMFS has conducted several ESA
consultations to assess the impact of the
groundfish fisheries on Steller sea lions.
Previous actions to implement Steller
sea lion protection measures and their
accompanying ESA consultations have
been subject to litigation. A detailed
history of previous Steller sea lion
protection measures, ESA section 7
consultations (i.e., biological opinions),
and litigation is provided in Chapter 1
of the EIS (see ADDRESSES).
The most recent Steller sea lion
protection measures were implemented
in 2011 with the 2010 Interim Final
Rule (75 FR 77535, December 13, 2010;
corrected 75 FR 81921, December 29,
2010). Steller sea lion protection
measures implemented in the 2010
Interim Final Rule limit harvest of Atka
mackerel and Pacific cod. NMFS
implemented these management
measures consistent with the reasonable
and prudent alternative (RPA)
recommended in the 2010 FMP BiOp
that NMFS determined were necessary
to insure that the Alaska groundfish
fisheries were not likely to jeopardize
the continued existence of Steller sea
lions or result in the destruction or
adverse modification of their designated
critical habitat. The 2010 Interim Final
Rule established Steller sea lion
protection measures primarily in the
Aleutian Islands, based on the
population trends of the Steller sea lions
and the harvest of principal prey species
by the groundfish fisheries in the
Aleutian Islands. This action retains
some and modifies some of the Steller
sea lion protection measures
implemented by the 2010 Interim Final
Rule.
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This final rule implements a suite of
management measures for the Atka
mackerel, Pacific cod, and pollock
fisheries primarily in the Aleutian
Islands. These management measures
protect Steller sea lion prey to comply
with the ESA requirement that NMFS
insure that its actions are not likely to
jeopardize the continued existence of
endangered species or destroy or
adversely modify its critical habitat. To
protect Steller sea lion prey availability,
this final rule protects specific areas that
are important to Steller sea lions and
limits the amount of fishing within
Steller sea lion critical habitat. This
final rule maintains a precautionary
approach to the management of Steller
sea lion prey species by spatially and
temporally dispersing catch,
particularly in critical habitat, to
prevent localized depletion of these
important prey resources. While
protecting Steller sea lion prey, this
final rule also enhances fishing
opportunities and minimizes potential
adverse economic impacts on fishery
participants and communities by
removing restrictions on fishing
implemented by the 2010 Interim Final
Rule that have been determined to be
unnecessary based on the 2014 BiOp.
NMFS analyzed the impacts of the
action and its alternatives in an EIS (see
ADDRESSES). NMFS published a notice
of intent to prepare the EIS in the
Federal Register on April 17, 2012 (77
FR 22750). The scoping period for the
EIS was approximately 6 months with
the period ending October 15, 2012.
NMFS also held a public scoping
meeting in coordination with a Council
meeting on October 2, 2012 (77 FR
52674, August 30, 2012). NMFS released
the draft EIS for public review on May
17, 2013 (78 FR 29131). The comment
period for the draft EIS ended on July
16, 2013. NMFS released the final EIS
on May 23, 2014 (79 FR 29759).
The decision analyzed in the EIS was
whether to maintain the existing suite of
Steller sea lion protection measures
(Alternative 1, the 2010 Interim Final
Rule) or to implement a new suite of
Steller sea lion protection measures
(Alternatives 2, 3, 4, 5, or 6). To provide
a comprehensive analysis of the effects
of the alternatives, the EIS compares the
six alternatives relative to each other
and relative to a baseline period used to
assess the environmental conditions
affecting Steller sea lions (generally
from 2004 through 2010). NMFS
developed these alternatives through a
collaborative process with the Council
and its Steller Sea Lion Mitigation
Committee, and considered public
comments received during the scoping
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process for the EIS and during the
public review of the draft EIS.
NMFS developed all alternatives with
the understanding that a preferred
alternative could only be selected as the
proposed action and implemented
through rule making if NMFS could
insure that the action was not likely to
jeopardize the continued existence of
the Steller sea lions or result in
destruction or adverse modification of
their designated critical habitat. The
Council and NMFS understood that a
preferred alternative and any resulting
rule must meet the requirements of the
ESA before factors that minimize the
economic impacts on fishery
participants could be considered. A
detailed discussion of the purpose and
need for the action is provided in the
EIS (see ADDRESSES).
The alternatives ranged from
Alternative 6, an alternative that would
restrict fishing more than the status quo
alternative (Alternative 1), to
Alternative 4, the alternative that would
allow the most fishing opportunities.
Alternative 4 would reinstate the Steller
sea lion protection measures that were
in place prior to the 2010 Interim Final
Rule, with a few exceptions.
Alternatives 2, 3, and 5 provided more
fishing opportunities and fewer
protection measures than Alternative 1,
but included more protection measures
than Alternative 4. Additional
description of the alternatives is
available in the EIS (see ADDRESSES).
In October 2013, the Council
recommended Alternative 5 as the
preferred alternative for the EIS.
Alternative 5 is a suite of management
measures for the Atka mackerel, Pacific
cod, and pollock fisheries that includes
fishery closures and limitations on catch
in specific areas to mitigate the potential
adverse effects of fishing on Steller sea
lion prey resources. Alternative 5
retains important Steller sea lion
protection measures in Alternative 1
and also allows more fishing by
removing or modifying some of
measures in Alternative 1. Alternative 5
includes authorization for specific
fishery research in the BSAI. This final
rule implements the Steller sea lion
protection measures in Alternative 5.
The Council recommended
Alternative 5 as the preferred alternative
based on the analysis in the draft EIS,
public comments, advice from its Steller
Sea Lion Mitigation Committee, input
from the Council’s Advisory Panel and
Scientific and Statistical Committee,
and the best available scientific
information. The Council considered
the findings of the 2010 FMP BiOp, a
review of the 2010 FMP BiOp sponsored
by NMFS and conducted by the Center
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for Independent Experts, and a review
of the FMP BiOp sponsored by the
States of Alaska and Washington. In
recommending Alternative 5 as its
preferred alternative, the Council
determined that Alternative 5 would
implement management measures that
protect Steller sea lion prey as required
by the ESA. The Council determined
that Alternative 5 would protect specific
areas that are important to Steller sea
lions and limit the amount of fishing
within Steller sea lion critical habitat in
order to protect Steller sea lion prey
availability. Alternative 5 maintains a
precautionary approach to the
management of Steller sea lion prey
species in critical habitat by spatially
and temporally dispersing catch to
prevent localized depletion of these
important prey resources.
NMFS conducted a consultation on
the proposed action as required under
section 7 of the ESA to determine
whether fishing under Alternative 5
would be likely to jeopardize the
continued existence of Steller sea lions
or destroy or adversely modify their
critical habitat. NMFS issued a
biological opinion on April 2, 2014
(2014 BiOp, see ADDRESSES). New
information in the external reviews of
the 2010 FMP BiOp and the new
analyses that NMFS conducted in
response to those external reviews were
incorporated into the 2014 BiOp to
further understand the effects of the
groundfish fisheries on Steller sea lions.
The 2014 BiOp found that the
implementation of the proposed action
(Alternative 5) was not likely to
jeopardize the continued existence of
Steller sea lions and was not likely to
destroy or adversely modify designated
Steller sea lion critical habitat. The
conclusions in the 2014 BiOp were
reached after considering the best
scientific and commercial information
available, including Steller sea lion
behavior and fisheries data. The 2014
BiOp concludes that the proposed
action would establish Steller sea lion
protection measures for the Atka
mackerel, Pacific cod, and pollock
fisheries in the Aleutian Islands subarea
that spatially and temporally disperse
fishing to mitigate potential competition
for prey resources between Steller sea
lions and these fisheries. Spatial and
temporal fishery dispersion is
accomplished through closure areas,
harvest limits, seasonal apportionment
of harvest limits, and limits on
participation in a fishery. The proposed
action would retain or modify existing
closure areas, harvest limits, seasonal
apportionment of harvest limits, and
limits on participation in ways that are
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designed to limit competition for prey
with Steller sea lions.
The best available scientific
information suggests that the effects of
the groundfish fisheries on Steller sea
lions may be greatest around rookeries
and haulouts due to the overlap of
foraging Steller sea lions and harvest of
their prey species in the fisheries. This
action limits fishing to the greatest
extent from 0 nm to 3 nm from rookeries
and haulouts, which corresponds with
the highest observed at-sea use by adult
female, young-of-the-year, and juvenile
Steller sea lions, as shown in the Steller
sea lion telemetry data described in the
2014 BiOp (see Chapter 5 of the EIS and
Section 5.4 of the 2014 BiOp).
The 2014 BiOp identified the
importance of maintaining global, or
broad scale, limits on the harvest of
Atka mackerel, Pacific cod, and pollock.
Global limits are currently in place for
these three species. Regulations prohibit
directed fishing in the BSAI or GOA if
the projected spawning biomass of the
fish stock falls below 20 percent of the
unfished spawning biomass (see
regulations at § 679.20(d)(4)). Atka
mackerel, Pacific cod, and pollock
fisheries have not experienced this type
of directed fishing closure since global
limits became effective in 2003 (68 FR
204, January 2, 2003).
Steller Sea Lion Protection Measures
This final rule implements a
comprehensive suite of Steller sea lion
protection measures. Steller sea lion
protection measures regulate fishing by
applying a combination of closed areas,
harvest limits, and seasons that reduce
fishery competition for Steller sea lion
prey when and where Steller sea lions
forage. To improve monitoring, this
final rule also requires vessels named on
a Federal Fisheries Permit (FFP), that
use trawl gear to harvest groundfish that
is deducted from the Federal total
allowable catch (TAC), to set their
vessel monitoring system (VMS) to
transmit the vessel location at least 10
times per hour.
This section provides a summary of
the Steller sea lion protection measures
implemented in this final rule. For a
more detailed explanation of the
regulatory provisions and the purpose of
each provision, please see the preamble
to the proposed rule (79 FR 37486, July
1, 2014). The preamble to the proposed
rule also provides a detailed comparison
of this final rule with the 2010 Interim
Final Rule.
Atka Mackerel, Pacific Cod, and Pollock
Fisheries
This final rule applies primarily to the
Atka mackerel, Pacific cod, and pollock
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fisheries in the Aleutian Islands
reporting area, defined at § 679.2 and
shown in Figure 1 to 50 CFR part 679.
The Aleutian Islands reporting area
consists of Statistical Areas 541, 542,
and 543 in the EEZ and adjacent State
of Alaska (State) waters. The EEZ
includes Federal waters that generally
occur from 3 nautical miles (nm) to 200
nm from shore. State waters generally
occur from shore to 3 nm from shore.
Area 541 and adjacent State waters
correspond to the eastern Aleutian
Islands; Area 542 and adjacent State
waters correspond to the central
Aleutian Islands; and Area 543 and
adjacent State waters correspond to the
western Aleutian Islands.
This final rule applies to vessels that
catch groundfish that are required to be
deducted from a TAC under § 679.20
and that are required to be named on a
FFP issued under § 679.4(b) in the BSAI
reporting area. This rule also applies to
vessels that harvest groundfish in State
waters that are managed under the
State’s parallel groundfish fisheries.
Parallel groundfish fisheries are
fisheries that occur in State waters and
where the catch of groundfish is
deducted from the Federal TAC. Parallel
groundfish fisheries are opened and
closed by the State concurrently with
adjacent Federal fisheries. Parallel
fisheries are managed by the State under
regulations similar to those that apply in
the Federal fisheries. The State parallel
fisheries that would be affected by this
action are the fisheries for groundfish
that occur in State waters adjacent to the
BSAI. Additional detail on State parallel
fisheries is provided in Chapters 3 and
8 of the EIS (see ADDRESSES).
Area Closures
NMFS has designated 100,286 square
kilometers as critical habitat for Steller
sea lions in the Aleutian Islands. This
subsection summarizes the critical
habitat closed to fishing under this final
rule. A detailed discussion of the
amount of critical habitat closed under
this final rule is in Section 5.3 of the
2014 BiOp (see ADDRESSES). The area
closures are implemented by regulations
at § 679.22 and Table 6 to 50 CFR part
679 for Atka mackerel, Table 5 to 50
CFR part 679 for Pacific cod, and Table
4 to 50 CFR part 679 for pollock.
With the final rule, NMFS is closing
90 percent of critical habitat in the
Aleutian Islands to Atka mackerel
fishing, which results in 8 percent more
area open for Atka mackerel fishing in
the Aleutian Islands compared to the
areas closed under the 2010 Interim
Final Rule. This final rule prohibits
directed fishing with trawl gear for Atka
mackerel in waters from 0 nm to 3 nm
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from haulouts and from 0 nm to 10 nm
from rookeries in Areas 543 and 542.
This final rule also prohibits directed
fishing for Atka mackerel in waters from
0 nm to 20 nm from Steller sea lion
haulouts and rookeries in Area 542
located between 178° E longitude and
180° E longitude and east of 178° W
longitude. In Area 541, this final rule
prohibits directed fishing with trawl
gear inside critical habitat, except for a
portion of critical habitat from 12 nm to
20 nm around Seguam Island.
With the final rule, NMFS is closing
22 percent of critical habitat in the
Aleutian Islands to Pacific cod fishing
with non-trawl gear (hook-and-line, pot,
and jig), which results in 23 percent
more area open to Pacific cod fishing
with non-trawl gear in the Aleutian
Islands compared to the areas closed
under the 2010 Interim Final Rule. In
Area 543, this final rule prohibits
directed fishing for Pacific cod in waters
from 0 nm to 3 nm from rookeries and
from 0 nm to 10 nm from Buldir Island
for hook-and-line and pot gear vessels.
In Area 542, this final rule prohibits
directed fishing for Pacific cod in waters
from 0 nm to 3 nm from rookeries for
hook-and-line and pot gear vessels. In
Area 541, this final rule prohibits
directed fishing for Pacific cod in waters
from 0 nm to 3 nm from rookeries west
of 172.59° W longitude and in critical
habitat from 0 nm to 20 nm east of
172.59° W longitude for hook-and-line
and pot gear vessels. Directed fishing for
Pacific cod with hook-and-line, pot gear,
and jig gear vessels is prohibited in the
Seguam Foraging Area.
With the final rule, NMFS is closing
52 percent of critical habitat in the
Aleutian Islands to Pacific cod fishing
with trawl gear, which results in 23
percent more area open to Pacific cod
fishing with trawl gear in the Aleutian
Islands compared to the areas closed
under the 2010 Interim Final Rule. In
Area 543, this final rule prohibits
directed fishing for Pacific cod with
trawl gear vessels in waters from 0 nm
to 3 nm from haulouts and from 0 nm
to 10 nm from rookeries. In Area 542,
this final rule prohibits directed fishing
for Pacific cod with trawl gear vessels in
waters from 0 nm to 3 nm from haulouts
and from 0 nm to 10 nm from rookeries.
In Area 541, this final rule prohibits
directed fishing for Pacific cod with
trawl gear vessels in waters from 0 nm
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to 3 nm from haulouts and from 0 nm
to 10 nm from rookeries, and from 0 nm
to 20 nm around Agligadak Island.
With this final rule, NMFS is closing
65 percent of critical habitat in the
Aleutian Islands to pollock fishing,
which results in 35 percent more area
open to pollock fishing in the Aleutian
Islands compared to the previous
closures. In Area 543, this final rule
prohibits directed fishing for pollock in
95 percent of critical habitat, including
0 nm to 20 nm from rookeries and
haulouts, except 3 nm to 20 nm from
Shemya, Alaid and Chirikof haulouts
that remain outside of 20 nm from
rookeries. In Area 542, west of 178° W
longitude, this final rule prohibits
directed fishing for pollock in waters
from 0 nm to 20 nm from haulouts and
rookeries, except in the specified open
area near the Rat Islands. East of 178°
W longitude, this final rule prohibits
directed fishing for pollock in waters
from 0 nm to 3 nm from haulouts and
from 0 nm to 10 nm from rookeries,
except at Kanaga Island/Ship Rock
where directed fishing for pollock is
prohibited in waters from 0 nm to 3 nm
from haulouts and rookeries in a portion
of Kanaga Sound east of 178° W
longitude. In Area 541, this final rule
prohibits directed fishing for pollock in
critical habitat from 0 nm to 3 nm from
haulouts and 0 nm to 10 nm from
rookeries.
Harvest Limits and Seasons
This final rule, in conjunction with
existing regulations, establishes harvest
limits by sector, area, and season for the
Atka mackerel, Pacific cod, and pollock
fisheries in the Aleutian Islands. This
subsection summarizes the harvest
limits and seasons established under
this final rule. The preamble to the
proposed rule describes the harvest
limits and seasons in greater detail (79
FR 37486, July 1, 2014).
Tables 1, 2, and 3 provide the 2015
estimates of biomass, the overfishing
levels (OFLs), the acceptable biological
catches (ABCs) from the 2015 harvest
specifications (79 FR 12108, March 4,
2014), and the harvest limit amounts for
Atka mackerel, Pacific cod, and pollock
fisheries established under this final
rule. Tables 1, 2, and 3 also describe the
allocations that are made to the Western
Alaska Community Development Quota
(CDQ) Program as CDQ reserves, as well
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as allocations made to accommodate
incidental catch amounts (ICAs), and
allocations to other non-CDQ
participants as applicable for the
specific fishery from the 2015 harvest
specifications. The 2015 biomasses,
OFLs, ABCs, TACs, and harvest limit
amounts are subject to change pending
the completion of the final 2014 Stock
Assessment and Fishery Evaluation
(SAFE) Report and the Council’s
recommendations for final 2015 and
2016 harvest specifications during its
December 2014 meeting. NMFS will
publish the final harvest limits in the
final 2015 and 2016 harvest
specifications.
Table 1 provides the Atka mackerel
harvest limits for 2015, based on the
2015 ABC (79 FR 12108, March 4, 2014).
In this final rule, § 679.20(a)(8)(ii)(C)
sets two Atka mackerel harvest
limitations for Areas 542 and 543. First,
in Area 543, the annual TAC is limited
to an amount no greater than 65 percent
of the ABC apportioned for Area 543.
The second limit would allow no more
than 60 percent of the annual TAC,
evenly apportioned between the A and
B seasons, to be harvested in critical
habitat west of 178° W longitude. This
area includes all of Area 543 and the
western portion of Area 542. Section
679.20(a)(8)(ii)(A) evenly divides the
harvest of TAC between the A and B
seasons and applies the seasonal
apportionment of Atka mackerel
harvests in Area 543, Area 542, and the
combined Area 541/Bering Sea. Section
679.23(e)(3)(ii) maintains the directed
fishing for Atka mackerel with trawl
gear A season dates from January 20
through June 10, and extends the B
season from June 10 through December
31. Prior to this final rule, the Atka
mackerel B season occurred from June
10 through November 1. This additional
season length provides greater
opportunity for trawl gear harvesters to
distribute catch throughout the year.
Section 679.20(a)(8)(ii)(D) prohibits any
unharvested Atka mackerel A season
allowance that is added to the B season
from being harvested within waters 0
nm to 20 nm of Steller sea lion sites
located in Areas 543, 542, and 541. This
provision ensures that harvest is not
concentrated within critical habitat
during the B season.
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TABLE 1—2015 BERING SEA AND ALEUTIAN ISLANDS ATKA MACKEREL BIOMASS, OFL, ABC, AND TAC; SECTOR,
SEASON, AND AREA ALLOCATIONS; AND CRITICAL HABITAT LIMITS UNDER THIS FINAL RULE
[Amounts are in metric tons]
2015 Atka Mackerel Biomass, OFL, ABC, and TAC
Biomass ...............................................................................................................................................................................................
OFL ......................................................................................................................................................................................................
ABC ......................................................................................................................................................................................................
TAC ......................................................................................................................................................................................................
Sector 1
Area 541/
Bering Sea
Season
Area 542
387,308
74,898
64,477
56,769
Area 543
2015 Sector, Season, and Area Allocations and Critical Habitat Limits
Area ABC ........................................................
Area TAC ........................................................
n/a ..................................................................
n/a ..................................................................
21,769
21,769
20,685
20,685
22,023
14,315
CDQ reserve ...................................................
Total ...............................................................
A season ........................................................
Critical habitat limit .........................................
B season ........................................................
Critical habitat limit 3 .......................................
2,329
1,165
n/a
1,165
n/a
2,213
1,107
664
1,107
664
1,532
766
460
766
460
ICA ..................................................................
Total ...............................................................
1,000
75
40
Jig 2 .................................................................
Total ...............................................................
92
0
0
BSAI trawl limited access ...............................
Total ...............................................................
A season ........................................................
Critical habitat limit .........................................
B season ........................................................
Critical habitat limit 3 .......................................
1,835
917
n/a
917
n/a
1,840
920
552
920
552
0
0
0
0
0
Amendment 80 ................................................
Total ...............................................................
16,513
16,557
12,743
Alaska Groundfish Cooperative for 2015 .......
Total ...............................................................
A season ........................................................
Critical habitat limit .........................................
B season ........................................................
Critical habitat limit 3 .......................................
8,958
4,479
n/a
4,479
n/a
9,938
4,969
2,981
4,969
2,981
7,854
3,927
2,356
3,927
2,356
Alaska Seafood Cooperative for 2015 ............
Total ...............................................................
A season ........................................................
Critical habitat limit .........................................
B season ........................................................
Critical habitat limit 3 .......................................
7,555
3,778
n/a
3,778
n/a
6,619
3,310
1,986
3,309
1,985
4,889
2,445
1,467
2,444
1,466
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1 Section 679.20(a)(8)(ii) allocates the Atka mackerel TACs, after subtracting the Community Development Quota (CDQ) reserves, jig gear allocation, and incidental catch allowances (ICAs) to the Amendment 80 and BSAI trawl limited access sectors. The allocation of the TAC for Atka
mackerel to the Amendment 80 and BSAI trawl limited access sectors is established in Table 33 to part 679 and § 679.91. The CDQ reserve is
10.7 percent of the TAC for use by CDQ participants (see §§ 679.20(b)(1)(ii)(C) and 679.31).
2 Section 679.20(a)(8)(i) requires that up to 2 percent of the Eastern Aleutian District and the Bering Sea subarea TAC be allocated to jig gear
after subtracting the CDQ reserve and ICA. Under the final 2015 harvest specifications, this allocation is 0.5 percent. The jig gear allocation is
not apportioned by season.
3 Any unharvested Atka mackerel A season allowance that is added to the B season is prohibited from being harvested within waters 0 nm to
20 nm of Steller sea lion sites listed in Table 6 to this part and located in Areas 541, 542, and 543.
Note: Seasonal or sector apportionments may not total precisely due to rounding.
In this final rule, § 679.20(a)(7)(vii)
sets a Pacific cod harvest limit based on
abundance in Area 543 as determined
by the annual stock assessment process.
NMFS will first subtract the State
Pacific cod Guideline Harvest Level
(GHL) amount from the Aleutian Islands
Pacific cod ABC, then NMFS will
determine the harvest limit in Area 543
by multiplying the percentage of Pacific
cod estimated in Area 543 by the
remaining ABC for Aleutian Islands
Pacific cod. The State sets the Pacific
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cod GHL at 3 percent of the sum of the
Aleutian Islands and the Bering Sea
Pacific cod ABCs. Table 2 provides the
proposed 2015 Aleutian Islands Pacific
cod biomass, OFL, ABC, TAC, GHL, the
sector allocations under the 2015
harvest specifications, and the Area 543
harvest limit under this final rule. The
Area 543 harvest limit is based on an
estimate of Pacific cod abundance for
Area 543 from the 2013 stock
assessment for Aleutian Islands Pacific
cod.
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In this final rule,
§ 679.23(e)(5)(ii)(C)(2) extends the
Pacific cod trawl gear C season from
November 1 to December 31 for
Amendment 80 and Community
Development Quota CDQ trawl vessels.
Prior to this final rule, the Pacific cod
trawl gear C season occurred from June
10 through November 1. This additional
season length provides greater
opportunity for trawl gear harvesters to
distribute catch throughout the year.
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TABLE 2—2015 ALEUTIAN ISLANDS
PACIFIC COD BIOMASS, OFL, ABC,
TAC, GHL, SECTOR ALLOCATIONS,
AND THE AREA 543 HARVEST LIMIT
UNDER THIS FINAL RULE
[Amounts are in metric tons]
2015 Aleutian Islands Pacific Cod Biomass,
OFL, ABC, TAC, and GHL
Biomass ........................................
OFL ...............................................
ABC ..............................................
TAC ...............................................
GHL ..............................................
58,911
20,100
15,100
6,487
8,613
Harvest
limit
Sector
2015 Sector and Area Allocations
CDQ portion of the TAC ...............
694
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groups, and the incidental catch of
pollock in all other groundfish fisheries.
These harvest limits would ensure the
Non-CDQ allocations ....................
5,793 harvest of pollock is constrained in the
Area 543 harvest limit ..................
1,609
winter when pollock harvests are most
likely to occur and when pollock
In this final rule,
appears to be an important part of the
§ 679.20(a)(5)(iii)(B)(6) sets harvest
Steller sea lion diet (Section 5.3.3 in
limits for pollock in the A season
(January 20 to June 10) and the B season 2014 BiOp).
(June 10 to November 1) in Areas 543,
Table 3 provides estimates of the 2015
542, and 541. In Area 543, the A season
Aleutian Islands pollock biomass, OFL,
pollock harvest limit is no more than 5
ABC, TAC under the 2015 harvest
percent of the Aleutian Islands pollock
specifications, and area specific harvest
ABC. In Area 542, the A season pollock
limits under this final rule. NMFS notes
harvest limit is no more than 15 percent that the maximum TAC in the Aleutian
of the Aleutian Islands ABC. In Area
Islands pollock fishery is constrained by
541, the A season pollock harvest limit
statutory and regulatory provisions that
is no more than 30 percent of the
limit the maximum Aleutian Islands
Aleutian Islands ABC. These limits
pollock TAC to 19,000 metric tons (see
apply to all harvests; this includes
regulations at § 679.20(a)(5)(iii)).
harvests by the Aleut Corporation, CDQ
Harvest
limit
Sector
TABLE 3—2015 ALEUTIAN ISLANDS POLLOCK BIOMASS, OFL, ABC, AND TAC; SECTOR AND SEASON ALLOCATIONS; AND
THE A SEASON HARVEST LIMITS, BY AREA, UNDER THIS FINAL RULE
[Amounts are in metric tons]
2015 Aleutian Islands Biomass, OFL, ABC, and TAC
Biomass ...............................................................................................................................................................................................
OFL ......................................................................................................................................................................................................
ABC ......................................................................................................................................................................................................
TAC ......................................................................................................................................................................................................
289,307
47,713
39,412
1 19,000
2015 Aleutian Islands Sector, Season, and Area Allocations
Sector 2
Seasons 4
Harvest Limits 3 .................................
A season
CDQ Directed Fishing Allowance .....
ICA ....................................................
Aleut Corporation ..............................
Area 541
Area 542
11,824
5,912
Total .................................................
A season ..........................................
B season ..........................................
1,900
760
1,140
2,000
1,000
1,000
n/a
Total .................................................
A season ..........................................
B season ..........................................
15,100
14,005
1,095
1,971
n/a
Total .................................................
A season ..........................................
B season ..........................................
Area 543
n/a
1 Statutory
and regulatory provisions limit the maximum Aleutian Islands pollock TAC to 19,000 mt (see regulations at § 679.20(a)(5)(iii)).
to § 679.20(a)(5)(iii)(B)(2)(i) and (ii), the annual Aleutian Islands pollock TAC, after subtracting first for the CDQ directed fishing allowance (10 percent) and second the ICA (2,000 mt), is allocated to the Aleut Corporation for a directed pollock fishery.
3 Note that although the area specific harvest limits total to more than 19,000 mt, the TAC constrains total harvests in the Aleutian Islands.
NMFS will prohibit fishing if the TAC is reached in the Aleutian Islands even if some amount is unharvested within an area specific harvest limit.
4 Section 679.20(a)(5)(iii)(B)(3)(i) limits the harvest of Aleutian Islands pollock in the A season to no more than 40 percent of the ABC. This
harvest includes the directed pollock fishery, CDQ directed fishing allowance, and the ICA. To establish the A season directed pollock fishery allocation within the seasonal limit, NMFS determines the amount of ICA that will be necessary to support other groundfish fisheries during the A
season.
2 Pursuant
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Summary of Regulation Changes
NMFS made three changes to the final
rule. One change is in response to
public comment, and one change is a
technical correction. The third change
revises 15 CFR 902.1(b) to reflect
revisions to recordkeeping and reporting
requirements.
First, NMFS added the term ‘‘C
season’’ to § 679.20(a)(7)(v)(B) to correct
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an inadvertent omission. This regulatory
correction has no impact on the Steller
sea lion protection measures but
provides an accurate description of
existing Pacific cod seasons. Additional
discussion of this change is in Comment
7 included under Response to Public
Comments, below.
Second, NMFS revised
§ 679.20(a)(7)(vii) to more accurately
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describe the process for setting the
Pacific cod harvest limit for Area 543.
The proposed rule at § 679.20(a)(7)(vii)
said that NMFS would adjust the ABC
by deducting the State guideline harvest
level (GHL). This is not the case, as
NMFS does not adjust the ABC. NMFS
modified this paragraph to explain that
NMFS will first subtract the State GHL
Pacific cod amount from the Aleutian
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Islands Pacific cod ABC. Then NMFS
will determine the harvest limit in Area
543 by multiplying the percentage of
Pacific cod estimated in Area 543 by the
remaining ABC for Aleutian Islands
Pacific cod. This correction clarifies a
procedure but does not change the
intended process for setting the Pacific
cod harvest limitation and has no
impact on the Steller sea lion protection
measures.
Third, this final rule revises and adds
data elements within a collection-ofinformation for recordkeeping and
reporting requirements; therefore 15
CFR 902.1(b) is revised to correctly
reference the sections resulting from
this final rule. 15 CFR 902.1(b)
identifies the location of NOAA
regulations for which Office of
Management and Budget (OMB)
approval numbers have been issued.
Section 3507(c)(B)(i) of the Paperwork
Reduction Act requires that agencies
inventory and display a current control
number assigned by the Director of the
OMB for each agency information
collection.
Response to Public Comments
The comment period on the proposed
rule ended on August 15, 2014 (79 FR
37486). NMFS received 17 letters during
the proposed rule comment period.
NMFS released the final EIS on May 23,
2014 (79 FR 29759). NMFS received two
letters of public comment on the final
EIS. The 19 letters received contained
59 unique comments. All of the
comment letters received are posted on
https://www.regulations.gov, search term
NOAA–NMFS–2012–0013.
Although NMFS is not required to
respond to comments received as a
result of issuance of the final EIS, NMFS
decided to provide responses as part of
the decision-making process. Due to the
overlap of issues, NMFS summarizes
and responds to the comments received
on the final EIS and the comments on
the proposed rule in this final rule
preamble.
In many of the letters, members of the
public also made comments on the 2014
BiOp. NMFS responds to comments on
the 2014 BiOp that are related to the
proposed rule and EIS. However,
comments on the 2014 BiOp that are not
related to the proposed rule or EIS are
not addressed further in this preamble.
NMFS notes that this final rule does not
implement the 2014 BiOp, and the 2014
BiOp is not subject to notice-andcomment rulemaking requiring a
response in this final rule. All letters
were provided to NMFS PRD for their
review. NMFS PRD and NMFS SFD did
not identify any new information
provided in public comments that
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would require NMFS SFD to reinitiate
ESA section 7 consultation. The triggers
for reinitiating consultation are
provided at 50 CFR 402.16.
Comments on Fishery Management
Measures
Comment 1: The proposed rule
continues to reduce the Atka mackerel
TAC, restrict catch in Steller sea lion
critical habitat, and spread the catch out
temporally and spatially. Further, the
majority of Steller sea lion critical
habitat remains closed for Atka
mackerel in the Aleutian Islands: 76
percent of critical habitat in Area 543;
93 percent in Area 542; and almost all
of Area 541 except a small area
southeast of Seguam Pass. These
measures will reduce the operational
efficiency of harvesters fishing under
the provisions of the Amendment 80
Program. This is particularly true given
current low permissible harvest levels,
even if allowed catches are managed
cooperatively among participants in the
Amendment 80 Program.
Response: NMFS acknowledges the
comment. Amendment 80 to the FMP
identified participants using trawl
catcher/processors in the BSAI active in
groundfish fisheries other than Bering
Sea pollock (i.e., the head-and-gut fleet
or Amendment 80 vessels) and
established a framework, known as the
Amendment 80 Program, to regulate
fishing by this fleet (72 FR 52668,
September 14, 2007). The Amendment
80 Program created Amendment 80
quota share based on the historic catch
of quota share species by Amendment
80 vessels, facilitated the development
of cooperative arrangements
(Amendment 80 cooperatives) among
quota shareholders, and assigned an
exclusive harvest privilege for a portion
of the TAC of quota share species for
participants in Amendment 80
cooperatives. Chapter 8 of the EIS
describes the factors affecting the
operational efficiency of vessels in the
Amendment 80 Program under this
action.
Comment 2: The development of the
Atka mackerel management measures by
the Council’s Steller Sea Lion Mitigation
Committee was guided in large measure
by the results of NMFS Fishery
Interaction Team studies. The Atka
mackerel management measures
implemented by this action are intended
to meet the goal of reducing the
possibility of competition. These Atka
mackerel management measures are
responsive to the best available
information and to the performance
standards of the 2010 FMP BiOp (see
ADDRESSES). The 2014 BiOp provides a
relevant context for evaluating the
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exposure of Steller sea lions to potential
constraining competition between the
fishery and Steller sea lions. Roughly 90
percent of the time during a year there
will be only 1 or 2 vessels fishing Atka
mackerel within a given management
area (e.g., Area 542). With the removal
of the ‘‘platoon system’’ under this
action, the Atka mackerel fishery will be
highly dispersed in time and space.
Response: NMFS acknowledges the
comment. Chapter 8 of the EIS describes
the operations of vessels fishing for Atka
mackerel under this action. Note that
the ‘‘platoon system’’ is also called the
Atka Mackerel Harvest Limit Area
(HLA) fishery. The 2010 Interim Final
Rule removed the HLA fishery and this
final rule maintains that removal. See
the proposed rule preamble for a more
detailed discussion of the HLA fishery
and the reason for its removal (79 FR
37499).
Comment 3: Strike the term ‘‘Area
541’’ from the proposed rule at
§ 679.20(a)(8)(ii)(D) where it reads,
‘‘Any unharvested Atka mackerel A
season allowance that is added to the B
season is prohibited from being
harvested within waters 0 nm to 20 nm
of Steller sea lion sites listed in Table
6 to this part and located in Areas 541,
542, and 543.’’ Any unused A season
Atka mackerel should roll to B season
and be available throughout the area
open to fishing within Area 541. This
will allow the fleet to disperse effort as
was envisioned under this action. This
change in regulation is also supported
by NMFS research that showed little
exchange of Atka mackerel inside and
outside of areas 12 nm from shore
within Area 541.
Response: The regulations at
§ 679.20(a)(8)(ii)(D) are correct and
NMFS made no changes to regulations
in response to this comment. NMFS
intended to prohibit the harvest of Atka
mackerel TAC rolled over from the A
season inside critical habitat in the B
season in Areas 541, 542, and 543. This
prohibition preserves the intent of the
existing seasonal apportionment of Atka
mackerel TAC, which is to temporally
disperse harvest. Currently, in each
management area, 50 percent of the TAC
is assigned to the A season and 50
percent to the B season, see
§ 679.20(a)(8)(ii)(C)(1)(ii). Also, the
ability to roll over unused TAC from the
A season to the B season is limited
under § 679.20(a)(8)(ii)(D). As explained
in the preamble to the proposed rule,
the purpose of this provision is to limit
the amount of harvest that could occur
in critical habitat to further protect Atka
mackerel prey resources for Steller sea
lions inside critical habitat (79 FR
37500). Unharvested Atka mackerel
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TAC from the A season can be harvested
in the B season outside of critical
habitat. This provision also provides for
greater spatial dispersion of harvest
away from Steller sea lion critical
habitat.
Comment 4: The proposed rule would
restore some productive fishing grounds
in the Aleutian Islands and remove the
no-retention regulations for the Pacific
cod fishery in Area 543. These measures
provide some reduction in the impacts
of Steller sea lion protection measures
to the Pacific cod fishery relative to the
2010 Interim Final Rule. However, the
amount of TAC available to the Pacific
cod fishery in the Aleutian Islands will
be only a small fraction of what was
available and what was harvested prior
to 2011 because of the decision to
separate BSAI Pacific cod into separate
stocks with separate OFLs, ABCs, and
TACs. With the adoption of separate
Pacific cod TACs for the Aleutian
Islands and Bering Sea, the new
measures provide much better
protection of the Pacific cod resource at
the global scale than did the 2010 FMP
BiOp RPA implemented in the 2010
Interim Final Rule.
Response: NMFS acknowledges the
comment. Chapter 8 of the EIS describes
the management of the Pacific cod
fishery under this action.
Comment 5: NMFS could alleviate the
concern over the concentration of
Pacific cod harvest in Area 543 and 542
by including re-consultation triggers in
the final rule similar to the reconsultation triggers NMFS included in
the 2010 Interim Final Rule that
established non-trawl and trawl sector
guideline harvest limits for Pacific cod
by area. NMFS should consider reconsultation triggers as non-regulatory
guideline harvest levels distinct for
trawl and non-trawl sectors Pacific cod
harvest in Areas 543 and 542 (and
possibly 541). These re-consultation
triggers could serve as an interim
measure to address immediate concerns
until superseded by Council action. Reconsultation triggers would ensure less
concentration of harvest in these areas
due to greater temporal dispersion of
harvest by vessels using fixed gear,
which is more temporally dispersed
than harvest by vessels using trawl gear.
Re-consultation triggers would also
ensure harvest by non-trawl gear, which
fishes at a slower rate than trawl gear
and is less likely to contribute to
localized depletion.
Response: NMFS included triggers for
reinitiation of the section 7 consultation
for Pacific cod harvest in Areas 541 and
542 as part of the RPA in the 2010 FMP
BiOp. The Pacific cod ABC and TAC
were specified as a combined BSAI ABC
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and TAC under the proposed action
analyzed in the 2010 FMP BiOp.
Because there were no limits on the
amount of the BSAI Pacific cod TAC
that could be caught in Areas 541 and
542, the RPA contained triggers to cue
NMFS and the public that reinitiation of
section 7 consultation should occur if
fishing exceeded historical catch
amounts in these management areas.
NMFS considered these triggers
important because the RPA and its
implementing 2010 Interim Final Rule
also closed Area 543 to directed fishing
and prohibited retention of Pacific cod.
With the closure of Area 543 to directed
fishing and retention of Pacific cod
prohibited under the 2010 Interim Final
Rule, NMFS was concerned that harvest
displaced from Area 543 would cause
an increase in harvest in Areas 542 and
541. NMFS included a discussion of
these triggers from the 2010 FMP BiOp
in the preamble to the 2010 Interim
Final Rule; however, as explained in
that preamble, NMFS did not include
these triggers in the implementing
regulations (75 FR 77541).
The 2014 BiOp did not recommend
reinitiation triggers for the Pacific cod
fishery because the nature of the Pacific
cod fishery and harvest limits have
changed since the 2010 FMP BiOp. As
of 2014, Pacific cod OFLs, ABCs, and
TACs are specified separately for the
eastern Bering Sea and Aleutian Islands.
The amount of Pacific cod catch in the
Aleutian Islands is expected to be
substantially reduced relative to prior
years when the OFL, ABC, and TAC
were combined for the BSAI. Therefore,
the potential for a shift of a substantial
amount of fishing effort from one area
of the Aleutian Islands to another does
not exist under this action.
The reinitiation notice in Section 10.0
of the 2014 BiOp stated that formal
consultation may be required if the
Aleutian Islands Pacific cod harvest is
concentrated in Areas 542 or 543, as this
would reflect a pattern not seen in the
historical fishery data. The EIS and the
2014 BiOp anticipated that a larger
proportion of the Aleutian Islands
Pacific cod TAC is likely to be harvested
by trawl gear rather than by non-trawl
gear and the Council did not
recommend harvest limits.
Comment 6: Make two changes to the
regulations: (1) Apportion the Aleutian
Islands Pacific cod TAC between fixed
gear and trawl gear for Areas 543, 542,
and 541; and (2) apportion the Aleutian
Islands Pacific cod TAC between the A
and B seasons for Areas 543, 542, and
541. Without these changes, the
proposed rule, in conjunction with
separate management of Aleutian
Islands Pacific cod and increasing State
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70293
of Alaska GHL Pacific cod fishery, could
reduce fixed gear harvest opportunity in
the Aleutian Islands and increase the
proportion of trawl harvest of Pacific
cod. The lack of an Aleutian Islands
Pacific cod TAC apportionment between
fixed gear and trawl gear for Areas 543,
542, and 541 will result in a decreased
proportion of fixed-gear Pacific cod
harvest in the Aleutian Islands and an
increased proportion of trawl Pacific
cod harvest in the Aleutian Islands. This
means more Pacific cod harvest in the
Aleutian Islands will be harvested by
trawl gear that is more temporally
compressed (February and March),
fishes at a higher rate (than fixed gear),
and is more likely to cause localized
depletion. This is inconsistent with the
stated intent of the proposed rule.
Response: This final rule implements
measures necessary to protect Steller sea
lion prey. The changes proposed by the
commenter to apportion the Aleutian
Islands Pacific cod TAC between fixed
gear and trawl gear and between the A
and B seasons are not Steller sea lion
protection measures. Apportioning the
Aleutian Islands Pacific cod TAC
between fixed gear and trawl gear and
between the A and B season would
require a separate regulatory
amendment. NMFS cannot add this
provision or an interim measure to the
final rule because it not been
considered, analyzed, or made available
for public comment. The Council could
consider and analyze this proposal and
make a recommendation to NMFS for a
future regulatory amendment.
A separate Aleutian Islands Pacific
cod TAC was established starting in
2014 that resulted in a substantial
reduction in the Pacific cod available for
harvest in the Aleutian Islands. The
Council and NMFS were aware of the
impact of the Aleutian Islands Pacific
cod TAC on the fixed gear fleet’s harvest
opportunities when the Council took
action to split the Pacific cod TAC. With
the Aleutian Islands Pacific cod TAC, it
is likely that trawl vessels will be able
to fully harvest this limited TAC before
the Pacific cod are available for harvest
by fixed gear vessels.
The EIS analyzed the impacts of the
proposed action and its alternatives
with the understanding that a separate
Pacific cod TAC would be implemented
in 2014 (see Chapter 5 of the EIS). The
2014 BiOp acknowledged the impacts of
the Pacific cod TAC split, including the
fact that the trawl fishery would harvest
the TAC, when it analyzed the proposed
suite of Steller sea lion protection
measures and found that the
implementation of this final rule was
not likely to jeopardize the continued
existence of Steller sea lions and was
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not likely to destroy or adversely modify
designated Steller sea lion critical
habitat. Therefore, the final rule is
consistent with the stated intent for this
action.
Comment 7: The proposed regulatory
text at § 679.20(a)(7)(v)(B) states,
‘‘Harvest of seasonal apportionments in
the Amendment 80 limited access
fishery. (1) Pacific cod ITAC assigned
for harvest by the Amendment 80
limited access fishery in the A season
may be harvested in the B seasons.’’
This mistakenly omits a reference to the
C season contained in paragraph
(a)(7)(v)(A) that states, ‘‘Use of seasonal
apportionments by Amendment 80
cooperatives. (1) The amount of Pacific
cod listed on a CQ permit that is
assigned for use in the A season may be
used in the B or C season.’’ We believe
this was an inadvertent omission and
the words ‘‘or C’’ belong in paragraph
(a)(7)(v)(B)(1) so that it would read:
‘‘Pacific cod ITAC assigned for the
harvest by the Amendment 80 limited
access fishery in the A season may be
harvested in the B or C seasons.’’
Response: NMFS agrees that this was
a typographical error and has made the
change to the final rule
§ 679.20(a)(7)(v)(B) to correct this
inadvertent omission. Section
679.20(a)(7)(v)(B) now reads, ‘‘Harvest
of seasonal apportionments in the
Amendment 80 limited access fishery.
(1) Pacific cod ITAC assigned for harvest
by the Amendment 80 limited access
fishery in the A season may be
harvested in the B or C seasons.’’ The
changes NMFS made to § 679.20(a)(7)(v)
are discussed in the preamble to the
proposed rule (79 FR 37502). This
regulatory correction has no impact on
the Steller sea lion protection measures.
Comment 8: The management
measures put forward in the proposed
rule are, on the whole, a significant
improvement over the measures that are
currently in place from the 2010 Interim
Final Rule, particularly in regards to the
re-opening of Area 543 to Pacific cod
fishing. The new measures are more
consistent with the best available
science on the impacts of groundfish
fisheries on the Steller sea lions and
reflect management measures developed
and supported by the Council and its
Steller Sea Lion Mitigation Committee.
Response: NMFS acknowledges the
comment.
Comment 9: The Pacific cod fishery
has been the primary basis of seafood
processing in Adak and a mainstay of
the local economy. Re-opening portions
of critical habitat to fishing will provide
more spatial dispersion of the fishery.
Setting a separate TAC for Aleutian
Islands Pacific cod is a precautionary
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measure that will protect the long term
productivity of the Pacific cod stock.
While these measures will result in less
Pacific cod being available in the
Aleutian Islands in the short run, the
more conservative management of
Aleutian Islands Pacific cod could
provide the community of Adak with a
more stable resource base in the long
run.
Response: NMFS acknowledges the
comment and notes that this final rule
is intended to spatially disperse the
Pacific cod fishery.
Comment 10: Prior to the 2014 BiOp,
no analysis of a commercial pollock
fishery in the Aleutian Islands had been
undertaken since Congress allocated
pollock to the Aleut Corporation in
2004. The 2014 BiOp takes the first hard
look at the spatial distribution of the
historic Aleutian Island pollock fishery
in comparison to the telemetry data on
Steller sea lion foraging locations. It also
compares Steller sea lion dive profiles
with pollock fishing depths. In both
cases the 2014 BiOp finds the least
overlap of any of the three prey species.
Additionally, scat data presented in the
2010 FMP BiOp showed Aleutian
Islands pollock had the lowest
frequency of occurrence in Steller sea
lion scat of the three prey species of
concern.
The statutory and regulatory
provisions that limit the maximum
amount of pollock TAC that may be
harvested in the Aleutian Islands means
that the pollock TAC in 2015 would be
less than 50 percent of the Aleutian
Islands pollock ABC. The commenter
notes that Aleutian Islands pollock
harvest is likely to be significantly less
than the TAC because allocations
provided to CDQ groups (i.e., 10 percent
of the Aleutian Islands TAC) may be
harvested in the Bering Sea, and
regulations allocate 50 percent of the
TAC remaining after allocation to CDQ
groups to vessels less than 60 feet in
length overall. These smaller vessels
will have difficulty harvesting their
pollock allocations due to the greater
depths at which pollock is found in the
Aleutian Islands and the more limited
fishing capabilities of smaller vessels to
harvest pollock at depth given the
necessary horsepower and gear
requirements.
Response: NMFS agrees that the
Aleutian Islands pollock TAC is likely
to be substantially below the Aleutian
Islands pollock ABC in the foreseeable
future because existing statutory and
regulatory provisions limit the
maximum Aleutian Islands pollock TAC
to 19,000 mt (see regulations at
§ 679.20(a)(5)(iii) and Table 3 in this
preamble). NMFS notes that although
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catch of Aleutian Islands pollock may
be less than the TAC for the reasons
stated by the commenter, NMFS does
not have specific information indicating
that catch will be consistently below the
Aleutian Islands TAC in future years.
The EIS and the 2014 BiOp assumed
that pollock catch in the Aleutian
Islands would equal the TAC for
purposes of analyzing the effects of this
action.
Comment 11: The proposed rule to
allow pollock fishing in some portions
of critical habitat will finally realize
Congress’ intent of providing for
economic development for Adak in the
2004 legislation allocating Aleutian
Islands pollock to the Aleut
Corporation.
Response: NMFS acknowledges the
comment.
Comment 12: Reduce the TAC for the
Bering Sea Aleutian Islands pollock
fishery by 50 percent because it may be
a cause in the Steller sea lion
population decline. One of the Steller
sea lion’s primary food sources is
pollock. Not having a stable food supply
forces the Steller sea lions to travel
farther and compete with other marine
animals for different food resources.
Local residents are wondering why
there are more frequent Steller sea lion
sightings in areas of the Bering Sea that
were previously uninhabited by sea
lions.
Response: NMFS manages pollock in
the Aleutian Islands separately from the
Bering Sea. This action changes
management of the Aleutian Islands
pollock fishery, as detailed in this
preamble. The Aleutian Islands pollock
TAC is greatly reduced from the ABC
due to a number of factors described in
Comment 10 and shown in Table 3 in
this preamble. The Bering Sea pollock
fishery is outside the scope of this
action.
The 2010 FMP BiOp analyzed the
impacts of the Bering Sea pollock
fishery on Steller sea lions and
concluded that the management
measures currently in place, including
the management measures for the Bering
Sea pollock fishery, are not likely to
jeopardize the continued existence of
Steller sea lions or destroy or adversely
modify their designated critical habitat.
The 2014 BiOp concluded management
measures in this action for the Aleutian
Islands pollock fishery are not likely to
jeopardize the continued existence of
Steller sea lions or destroy or adversely
modify their designated critical habitat.
A wide range of factors can affect the
distribution of Steller sea lions (see
Chapter 5 of the EIS for additional
details on Steller sea lion distribution).
The occurrence of Steller sea lions at a
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location not previously observed may be
due to reasons other than the lack of
adequate prey resources in other
locations.
Comments on Steller Sea Lion Issues
Comment 13: The proposed rule
preamble fails to include any
information regarding the current total
population status of Steller sea lions.
The status of the Steller sea lion
population should be included in the
preamble to the rule to give context to
the proposed management measures.
The proposed rule is for management
measures to protect Steller sea lions, but
the rule provides no information on the
total population status.
Response: A complete description of
the status of the Steller sea lion
population is provided in Section 5.1.1
of the EIS and Section 3.3 of the 2014
BiOp. The WDPS of Steller sea lions is
distributed from Prince William Sound
through the Aleutian Islands in Alaska
and in Russia on the Kamchatka
peninsula, Kuril Islands, and the Sea of
Okhotsk. The 2008 Recovery Plan (see
ADDRESSES) uses the population trend in
non-pups to gauge the species’ status.
In 2012, the estimated abundance of
the entire WDPS of Steller sea lions
(pups and non-pups, United States and
Russia/Asia) was 79,300 sea lions (see
Section 3.3.1 of the 2014 BiOp).
Abundance of the United States portion
of the population is estimated at 52,200
animals based on data from 2012. Steller
sea lion abundance in the Russian
portion of the population is estimated at
27,100 animals based on data collected
through 2012.
There is evidence that Steller sea lion
non-pup counts in Alaska increased at
an average rate of 1.67 percent per year
between 2000 and 2012. Because the
United States portion of the range
occurs exclusively within Alaska,
reference to the United States portion of
the Steller sea lion population is
synonymous with the Alaska portion of
the Steller sea lion population.
However, there are strong differences in
trends across the range of Steller sea
lions in Alaska. There is strong evidence
of a positive trend (2.89 percent per
year) east of Samalga Pass and strong
evidence of a continued decline (¥1.53
percent per year) west of Samalga Pass.
NMFS uses six sub-regions within
Alaska for trend and status monitoring
of Steller sea lions. These sub-regions
include the eastern GOA, central GOA,
and western GOA, the eastern Aleutian
Islands/Bering Sea, central Aleutian
Islands, and the western Aleutian
Islands. A seventh sub-region (i.e.,
Russia/Asia) is located outside the
United States and is commonly referred
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to as the Russian sub-region because
most of the Steller sea lion population
in that sub-region is concentrated in
Russia. NMFS receives information on
the trend and status of Steller sea lions
in this sub-region from its counterparts
in Russia and Japan.
Non-pup counts increased at a
significant rate from 2000 through 2012
in the eastern GOA, the western GOA,
and the eastern Aleutian Islands. Nonpup counts increased at a nonsignificant rate from 2000 through 2012
in the central GOA. Counts of non-pups
decreased at a significant rate in the
western Aleutian Islands and at a nonsignificant rate in the central Aleutian
Islands from 2000 through 2012.
The Russian sub-region of Steller sea
lions is estimated to have increased
from 13,000 sea lions in the 1990s to
16,000 by 2005. Data collected through
2012 indicate that overall Steller sea
lion abundance in the Russian subregion continues to increase and is now
similar to the 1960s (27,100). Between
1995 and 2012, pup production
increased overall in the Russian subregion by 3.1 percent per year. However,
just as in the United States portion of
the range, there are significant regional
differences in Steller sea lion
population trends in the Russian subregion (see the EIS Chapter 5 and 2014
BiOp for full details).
Comment 14: Given the robust
increase in the total United States
population of Steller sea lions, the
removal of some of the Steller sea lions
protection measures in the 2010 Interim
Final Rule is warranted. Additionally,
this population increase, combined with
the fact there is no evidence supporting
the nutritional stress hypothesis (i.e.,
that fisheries are removing key Steller
sea lion prey species in a way that
diminishes resources for Steller sea
lions), is grounds for the removal of
additional undue restrictions on the
BSAI groundfish fisheries.
Response: NMFS acknowledges the
comment; however, the changes made to
Steller sea lion protection measures are
based on the best available scientific
information and not those stated in the
comment.
Comment 15: The 2014 BiOp fails to
provide a sound, scientific basis for
concluding no jeopardy or adverse
modification and, therefore, it does not
provide an objective foundation for the
proposed rule. The 2014 BiOp analysis
on which the proposed rule is based is
flawed to such an extent that it should
be set aside, the proposed rule
withdrawn, and the consultation reinitiated.
Response: NMFS based this rule on
the preferred alternative recommended
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by the Council. See response to
Comment 16.
The 2014 BiOp considered the effects
of two proposed actions: The modified
Steller sea lion protection measures in
the Aleutian Islands Federal groundfish
fisheries and State of Alaska parallel
groundfish fisheries for Atka mackerel,
Pacific cod, and pollock (the action
implemented through this final rule);
and research to better understand the
potential effects of these fisheries on
Steller sea lions. As required by the
regulations codified at 50 CFR 402.14,
the 2014 BiOp includes a summary of
the information on which the opinion is
based, a detailed discussion of the
effects of the action on the listed Steller
sea lions and designated critical habitat,
and NMFS’ opinion that the action is
not likely to jeopardize the continued
existence of the WDPS of Steller sea
lions or destroy or adversely modify
their designated critical habitat. NMFS
based its opinion in the 2014 BiOp on
the best scientific and commercial data
available as required by 50 CFR 402.14.
Please see the 2014 BiOp for additional
detail (see ADDRESSES).
Comment 16: The proposed rule is
premised on the unprecedented finding
from the 2014 BiOp that the
preponderance of available data does
not support a conclusion that the
groundfish fisheries and groundfish
abundance are limiting Steller sea lion
population growth rates.
Response: These implementing
regulations are premised on the
information available to the Council, its
Steller Sea Lion Mitigation Committee,
and NMFS throughout the development
of this action. When it recommended
the suite of Steller sea lion protection
measures implemented in this final rule,
the Council reviewed all of the
information available, including the
2010 FMP BiOp, the Center for
Independent Experts’ review of the 2010
BiOp, as well as the external review
commissioned by the States of Alaska
and Washington, the EIS analysis, and
public comments.
NMFS then conducted an ESA section
7 consultation on the Council’s
recommended proposed action and
issued the 2014 BiOp. The 2014 BiOp
concluded that the proposed action is
not likely to jeopardize the continued
existence of the WDPS of Steller sea
lions or destroy or adversely modify
their critical habitat. The 2014 BiOp
also explains that NMFS maintains that
a cautionary approach to fishing for
prey species in Steller sea lion critical
habitat is warranted, especially in
winter when NMFS has the least
information about prey biomass, and
that catch should be dispersed in time
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and space to prevent localized
depletion—at least until such time as
NMFS has better local biomass and
exploitation rate estimates (see the 2014
BiOp, page 227). Consistent with that
recommendation, the Steller sea lion
protection measures implemented in
this final rule dispersed fishing in time
and space to prevent localized depletion
of prey species.
Comment 17: While measures other
than those currently in place
conceivably might satisfy NMFS’
obligations under the ESA, the available
scientific information about the fisheries
and Steller sea lions does not justify
new measures that simply allow more
fishing without a coincident increase in
other protections. Alternative 5 is
arbitrary because it is based on the 2014
BiOp.
Response: Alternative 5 (the preferred
alternative implemented in the final
rule) was not based on the 2014 BiOp.
NMFS worked with the Council and its
Steller Sea Lion Mitigation Committee
to identify the reasonable range of
alternatives for analysis in the EIS. In
developing the alternatives, the Steller
Sea Lion Mitigation Committee and
Council considered the 2010 FMP BiOp,
external reviews of 2010 FMP BiOp, the
draft EIS, public comments, and NMFS’
response to public comments received
on the draft EIS. Based on this
information, the Council determined
that the available scientific information
about the fisheries and Steller sea lions
supports alternative Steller sea lion
protection measures to those in the 2010
Interim Final Rule. The Council then
recommended Alternative 5 as the
preferred alternative based on the
analysis in the draft EIS, public
comments, and the best available
scientific information.
In the 2014 BiOp, NMFS analyzed the
effects of Alternative 5 after it was
recommended by the Council. NMFS
conducted the ESA section 7
consultation on Alternative 5 prior to
releasing the final EIS and commencing
rulemaking. The 2014 BiOp found that
the implementation of Alternative 5 was
not likely to jeopardize the continued
existence of the WDPS of Steller sea
lions and was not likely to destroy or
adversely modify designated Steller sea
lion critical habitat. The conclusions in
the 2014 BiOp were reached after
considering the best scientific and
commercial information available,
including Steller sea lion behavior and
fisheries data.
Comment 18: The 2010 FMP BiOp
remains valid and, for precisely this
reason, both the proposed rule and 2014
BiOp must be abandoned. The proposed
rule simply cannot be reconciled with
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the 2010 FMP BiOp—as the proposed
rule would repeal the very Steller sea
lion protection measures instituted as
the 2010 RPA. Because the 2010 FMP
BiOp reflects a credible and consistent
analysis of the best available science,
the status quo protection measures for
Steller sea lions adopted as a
consequence of that analysis and
reflected in the 2010 Interim Final Rule
must be at least maintained—if not
strengthened.
Response: The connection between
the 2010 FMP BiOp and the 2014 BiOp
on the Alaska groundfish fisheries is
explained in Section 1.0 of the 2014
BiOp. The 2014 BiOp did not entirely
replace the previous 2010 FMP BiOp.
The analysis contained in the 2010 FMP
BiOp remains valid and meets NMFS’
requirement to consult at the FMP level.
NMFS did a project-level, focused
consultation on the proposed action to
modify Steller sea lion protection
measures in the Aleutian Islands. The
2014 BiOp is the result of that
consultation. The 2014 BiOp considered
a different proposed action than the
2010 FMP BiOp, namely the proposed
changes to the Aleutian Islands Pacific
cod, Atka mackerel, and pollock
fisheries; scientific research on these
fisheries and other changes to the
fishery management structure since
2010; and new information available
subsequent to completion of the 2010
FMP BiOp. The proposed action to
modify Steller sea lion protection
measures replaces the RPA in the 2010
FMP BiOp, which was implemented as
the 2010 Interim Final Rule. Based on
an analysis of the proposed action and
the new information, the 2014 BiOp
concludes that the proposed action is
not likely to jeopardize the continued
existence of Steller sea lions or destroy
or adversely modify their designated
critical habitat.
Comment 19: The proposed rule
violates NMFS’ ESA obligation to avoid
jeopardizing the prospects of Steller sea
lions for recovery and is inconsistent
with the 2008 Recovery Plan (see
ADDRESSES). The best available science,
reflected in the 2008 Recovery Plan,
indicates that a large sub-regional
population decline constitutes a threat
to the prospect of recovery for Steller
sea lions as a whole. NMFS is proposing
to allow additional fishing within the
designated critical habitat for the
western and central Aleutian subregions, even though Steller sea lion
populations continue to decline in those
areas and NMFS acknowledges that
existing fishing levels cannot be ruled
out as a contributing cause of the
ongoing decline. Significantly, the
western Aleutian sub-regional
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population declined substantially—60
percent from 2000 to 2012—and a 2013
study found that the probability of
extinction in the western Aleutian
Islands is substantial within 50 years.
Response: The recovery criteria in the
2008 Recovery Plan are discussed in
Section 3.5 of the 2014 BiOp and
Section 1.9.4 of the EIS. The recovery
criteria compose the core standards
upon which to base a decision to
remove Steller sea lions from the
Endangered Species List. The biological
(demographic) recovery criteria are
intended to maintain Steller sea lion
populations throughout their range.
Currently, there are no geographic gaps
in the range of Steller sea lions and the
Recovery Team determined, and NMFS
concurred, that it is important to the
species’ viability to maintain
populations in all six sub-regions of the
WDPS. Significant declines over large
areas (two sub-regions or more) could
indicate that the extinction risk may
still be high and that further research
would be needed to understand the
threats before delisting. NMFS notes
that although the recovery criteria are
still applicable, there have been
substantial improvements in the best
available scientific information on
Steller sea lions since the publication of
the 2008 Recovery Plan. The 2014 BiOp
considered the best available scientific
information.
The abundance of Steller sea lions in
Alaska is increasing at a statistically
significant rate; however, the increase is
due to significant increases in
population growth in three of the six
sub-regions (the eastern Aleutian
Islands, the western GOA, and the
eastern GOA). Steller sea lions continue
to decline in the central Aleutian
Islands and western Aleutian Islands.
The rate of decline is not statistically
significant in the central Aleutian
Islands, but is statistically significant in
the western Aleutian Islands. The rate of
increase is uncertain in the central
GOA. See response to Comment 13 for
additional information on the
population status of Steller sea lions.
Section 3.6 of the 2014 BiOp and
Section 5.1.1.2 of the EIS discuss the
extinction risk of Steller sea lions in
Alaska. The studies presented in those
sections show no risk of extinction for
Steller sea lion in the WDPS within 100
years. These studies also considered the
probability of extinction in each of the
six specific sub-regions within 100
years. The studies concluded that
Steller sea lion populations in all six of
the sub-regions, with one exception,
have no risk of extinction within 100
years. The population in the western
Aleutian Islands sub-region is predicted
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to have a high probability of extinction
within 100 years.
As explained in Section 7.1 of the
2014 BiOp, NMFS considered the effects
of the proposed action on the survival
and recovery of sea lion populations in
the individual sub-regions per the
criteria in the 2008 Recovery Plan.
NMFS’ opinion in the 2014 BiOp is that
the preponderance of available data
does not support a conclusion that the
groundfish fisheries as proposed and the
current groundfish abundance are
limiting Steller sea lion population
growth rates. NMFS acknowledges that,
due to significant data gaps, NMFS
cannot rule out the effects of fishing as
contributing to the continued decline in
the western Aleutian Islands and the
lack of recovery in the central Aleutian
Islands (see Section 5.4.5 of the 2014
BiOp).
Given these data gaps, NMFS
maintains that a precautionary approach
to fishing for sea lion prey species in
Steller sea lion critical habitat is
warranted, especially in winter, and that
catch of prey species should be
dispersed in time and space to prevent
localized depletion of prey at least until
NMFS has better information about
local biomass and exploitation rates (see
Section 5.4.5 of the 2014 BiOp). The
Steller sea lion protection measures
implemented in this final rule maintain
substantial groundfish fishery closures
and catch limits in Steller sea lion
critical habitat (see Section 5.3 in the
2014 BiOp and Sections 2.1.5 and
5.2.2.6 of the EIS) to reduce the
potential for competition for prey
between the fisheries and sea lions and
to ensure that the fisheries are not likely
to jeopardize the continued existence of
the WDPS of Steller sea lions or destroy
of adversely modify their designated
critical habitat.
For example, directed fishing for Atka
mackerel, pollock, and Pacific cod with
trawl gear will be prohibited in 76
percent, 95 percent, and 76 percent,
respectively, of the area designated as
critical habitat in the western Aleutian
Islands (Area 543). Limits will be
imposed on the amount of the TAC of
these Steller sea lion prey species that
may be taken from Area 543, which
corresponds with the western Aleutian
Islands sub-region (see Section 2.1.5 of
the EIS). Seasonal catch limits will also
be imposed and the amount of Atka
mackerel that can be caught in Steller
sea lion critical habitat in the central
and western Aleutian Islands (Areas 543
and 542) will be limited to 60 percent
of the TAC. Refer to the preamble to the
proposed rule for the full suite of Steller
sea lion protection measures
implemented by this final rule.
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NMFS’ opinion about the effects of
the proposed fisheries on the Steller sea
lion population in the western Aleutian
Islands sub-region and their designated
critical habitat is summarized in Section
7.3 of the 2014 BiOp. The measures
implemented by this final rule to reduce
potential competition between the
groundfish fisheries and Steller sea
lions overall, and in sea lion critical
habitat in the western Aleutian Islands,
are not likely to appreciably reduce the
likelihood of survival or recovery of the
western Aleutian Islands Steller sea lion
sub-population. However, based on an
assessment of the available data, NMFS
concluded that a decline in numbers of
the western Aleutian Islands Steller sea
lion population is likely to continue for
unknown reasons, even apart from any
changes in the fisheries, and that the
measures implemented by this rule are
not likely to yield population level
effects that would appreciably change
the likelihood of survival or recovery of
the Steller sea lion population within
the western Aleutian Islands sub-region.
NMFS also concluded that the effects of
the proposed fisheries in the central
Aleutian Islands (corresponding with
NMFS management areas 542 and 541)
are not likely to appreciably reduce the
likelihood of survival or recovery in the
central Aleutian Islands sub-region.
Because the proposed fisheries are not
likely to reduce the survival or recovery
of Steller sea lion populations in the
western and central Aleutian Islands
sub-regions, NMFS concluded that the
proposed fisheries are not likely to
appreciably reduce the likelihood of
survival or recovery of the WDPS of
Steller sea lions (Section 7.3 of the 2014
BiOp).
Comment 20: All protections should
remain in place to protect Steller sea
lions until NMFS can confirm that the
threats that have resulted in the
unforeseen and unexplained declines of
Steller sea lion populations in the
central and western Aleutian Islands
have abated. The 2010 Interim Final
Rule management measures to protect
the population in these sub-regions
represent the maximum spatial extent
and amount of fishing that can be
permitted by the commercial groundfish
fisheries. In fact, with ongoing declines
persisting in these areas despite the
protection measures instituted by the
2010 Interim Final Rule, additional
protection measures may be necessary.
There are no conditions under which
these endangered Steller sea lions
would not be jeopardized if restrictions
were relaxed. The environmental impact
of fishing is never conducive to the
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preservation of wildlife or natural
habitats.
Response: NMFS is concerned about
the continued decline of Steller sea
lions in the western and central
Aleutian Islands sub-regions. However,
NMFS concluded that the changes to the
Aleutian Islands groundfish fisheries
management in this final rule are not
likely to reduce the survival or recovery
of sea lion populations in the western or
central Aleutian Island sub-regions, let
alone the WDPS of Steller sea lions as
a whole. See response to Comment 19.
The EIS analyzed the environmental
impacts of the proposed action and its
alternatives on wildlife and habitat.
Comment 21: NMFS’ refusal to
address the correlation between subregional population trends and Steller
sea lion protection measures is arbitrary
and harmful because it defies a key
performance standard set forth in the
2010 FMP BiOp. The proposed rule
purports to maintain the goal of
providing more protection to Steller sea
lions where more decline in their
population is evident. As the proposed
rule would eliminate Steller sea lion
protection measures in the central and
western Aleutian Islands, the portion of
the species’ range where the population
continues to decline, it obviously fails
to meet this performance standard. The
proposed rule would open more critical
habitat to more fisheries in Area 543
relative to Areas 541 and 542, despite
the fact that the negative population
trend is most pronounced in Area 543.
Response: Contrary to the
commenter’s assertion, this final rule
does not eliminate Steller sea lion
protection measures in the central and
western Aleutian Islands, but rather
maintains or modifies Steller sea lion
protection measures in a manner that is
consistent with the mandates of the ESA
and the Magnuson-Stevens Act.
Section 1.10.3 of the EIS describes the
objective and performance standards to
mitigate potential adverse impacts of the
fisheries on Steller sea lions. The
Council and NMFS considered these
performance standards when selecting
the preferred alternative in the EIS. The
performance standards reflect concepts
NMFS has applied for over a decade to
mitigate potential impacts of the
groundfish fisheries on Steller sea lions
and their critical habitat. The specific
set of performance standards for this
action originated in the 2010 FMP BiOp
and was subsequently modified in the
EIS to reflect new information available
since the since 2010 FMP BiOp was
prepared. The action implemented in
this final rule adheres to the
performance standards by closing
important Steller sea lion habitat and
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foraging areas to directed fishing for
Steller sea lion prey species, dispersing
catch between seasons, limiting the
amount of sea lion prey species that
may be caught inside critical habitat,
maintaining and establishing 3-nm
groundfish fishing closures around
designated and emerging rookeries in
the Aleutian Islands, and including
additional harvest controls for Steller
sea lion prey species in Area 543—the
western Aleutian Islands. This final rule
also conserves prey availability for
Steller sea lions by closing areas to
directed fishing for Atka mackerel
where tagging studies indicate high
movement of fish from inside to outside
closure areas.
A greater percentage of the critical
habitat area will be open to directed
fishing for Atka mackerel and Pacific
cod in Area 543 relative to Areas 542 or
541 under this final rule. However, this
final rule imposes stricter harvest limits
for Atka mackerel and Pacific cod in
Area 543 compared to the harvest limits
that will apply in Areas 542 and 541
(see Section 2.1.5 of the EIS) in
accordance with the performance
standards in the 2010 FMP BiOp. Taken
as a whole, these measures meet the
performance standards by limiting catch
overall in the areas where the rate of
decline is most evident. The
specification of a separate Aleutian
Islands Pacific cod ABC and TAC
beginning in 2014 (see Section 3.3.3 of
the EIS) substantially reduced Pacific
cod harvests in the Aleutian Islands
relative to baseline harvests. The
historical data indicate that higher
Pacific cod catches are expected in Area
541 compared to Areas 542 and 543 (see
EIS Sections 8.11 and 8.18.3). As
explained in the preamble to the
proposed rule (79 FR 37486), the
measures to mitigate the potential
effects of the pollock fishery on Steller
sea lions and critical habitat conform to
the performance standard and are more
protective where the Steller sea lion
decline is most evident. To meet the
objective of the mitigation measures (see
EIS Section 1.10.3), the Council and
NMFS considered the performance
standards, changes to the fisheries
relative to the action analyzed in the
2010 FMP BiOp, and the effects of the
alternatives when selecting the
preferred alternative being implemented
in this final rule.
Comment 22: The Council’s
recommended preferred alternative is
supported by the EIS and the 2014
BiOp. Together, these two documents
fulfill the U.S. District Court’s directive
to NMFS to take a hard look at the data.
In doing so, NMFS has been responsive
to the Center for Independent Experts’
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review of the 2010 BiOp, as well as to
public comment on the 2010 BiOp and
to the external review commissioned by
the states of Alaska and Washington.
Response: NMFS acknowledges the
comment.
Comment 23: The EIS’s focus on raw
numbers concerning area closures and
catch volumes do not meaningfully
capture the severity of the impacts or
the degree to which the action may
adversely affect Steller sea lions or their
habitat. The EIS analysis assumes that
fishery removals of prey may adversely
affect Steller sea lions, and that
incremental increases in prey removals
and opening more areas of critical
habitat, relative to status quo, could
have incremental, adverse effects on
prey availability for Steller sea lions.
While these assumptions are
appropriate, the EIS applies them in an
exclusively relativistic manner, never
offering an ultimate, objective judgment
of the environmental effects of the
alternatives on Steller sea lions.
Response: Chapter 5 of the EIS
provides a clear explanation of the
methods used for the analysis of the
potential effects of the fisheries on
Steller sea lions. The analysis examines
the effects of the alternatives on
incidental takes (Section 5.2.1), harvest
of prey species (Section 5.2.2), and
disturbance (Section 5.2.3). Section
5.2.2 describes the method and
assumptions used to analyze the effects
of the alternatives with the best
scientific information available. The
best available scientific information
includes quantitative fisheries catch
information in time and space and
critical habitat locations in relation to
fishing activity. This information is
used to compare and contrast the effects
of the alternatives. The EIS provides
conclusions for each effect based on the
results of the analysis. The assumptions
that are used in the analysis are clearly
stated for the public’s understanding of
the nature of the available information
and how this information is used in the
analysis. The commenter’s request that
this information be presented and that
an objective judgment on the effects of
the alternatives be provided can be
found in the EIS in the sections
referenced above and in its conclusions.
Comment 24: The 2014 BiOp is
premised on an examination of the
overlap in depth between the fisheries
and Steller sea lion diving, by season,
based on our best understanding of the
two variables. The EIS undercuts the
reliability of this work to reach a
conclusion of no jeopardy, stating that
the extent to which competition
between fisheries and Steller sea lions
may be avoided through partitioning of
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resources by depth can be difficult to
judge using the available information.
Scientific studies of Steller sea lion
foraging patterns are just beginning to
characterize the diving depths and
patterns of Steller sea lions, and they are
likely capable of foraging patterns not
yet described or anticipated. Describing
the overlap in depth between fisheries
and Steller sea lions is further
complicated by diet or seasonal vertical
migrations of the fish resources for
reproduction, refuge, or foraging.
Response: Overlap in fishery and
Steller sea lion foraging depth is one
necessary condition for competition
between fisheries and Steller sea lions
for prey species. Information on sea lion
foraging and fishing depths is discussed
in Section 5.3.5 of the 2014 BiOp and
Section 5.2.2.1 of the EIS. The 2014
BiOp contains a detailed analysis of
fishery and Steller sea lion foraging
depths as one aspect of the exposure
analysis. The objective of an exposure
analysis in a biological opinion is to
establish the extent of spatial and
temporal overlap of the proposed action
with the listed species and designated
critical habitat. NMFS conducted a new
exposure analysis in the 2014 BiOp in
response to comments from two external
scientific reviewers who cited
shortcomings with the exposure
analysis in the 2010 FMP BiOp.
While the depth analysis in the 2014
BiOp is more detailed than in the EIS,
the conclusions of the respective
analyses are in accord with each other.
For example, the EIS concludes that
competition may be less likely between
Steller sea lions and fisheries that
harvest species found deeper in the
water column. In the 2014 BiOp, NMFS
also inferred greater potential depth
overlap with sea lions between the
Pacific cod and Atka mackerel fisheries
than for pollock fisheries, based on the
available data. The pollock fishery
occurs at deeper depths than the Pacific
cod and Atka mackerel fisheries (see
Section 5.3.5 in the 2014 BiOp). NMFS
also noted in the 2014 BiOp that there
were limitations in the available data for
drawing inferences about the cause of
apparent depth partitioning in some
portion of sea lion dives and pollock
trawl hauls. These conclusions are
consistent with the conclusions in
Section 5.2.2.1 of the EIS, which notes
that diel or seasonal vertical migrations
of fish complicates the description of
depth overlap between the fisheries and
Steller sea lions.
Comment 25: The assessment of the
frequency and intensity of fishery
removals in the 2014 BiOp does not
support the BiOp’s ‘‘no jeopardy’’
conclusion. This assessment is also
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contrary to the EIS because the EIS
acknowledges that the critical link
between fisheries removals (e.g., time,
rate, location) and the effects on Steller
sea lions is poorly understood and that
the relationship between these catch
rates and the impacts on prey cannot be
determined except that higher catch
rates in relation to low prey abundance
would be more likely to result in
localized depletions.
Response: Section 5.3.7 in the 2014
BiOp analyzes the probable extent of
removal of important Steller sea lion
prey under the proposed action. Section
5.3.8 of the 2104 BiOp presents NMFS’
conceptual model of how Steller sea
lions are exposed to the effects of prey
removal by the groundfish fisheries.
Section 5.3.8 of the 2014 BiOp and
Section 5.2.2 of the EIS consistently
describe the conditions expected to lead
to localized depletion of prey.
Consistent with the limitations to
assessing effects described in Section
5.2.2.1.4 of the EIS, Section 5.3.8 of the
2014 BiOp acknowledges that NMFS
lacks data to determine conclusively
whether the fisheries fragment the prey
patches, modify the proportion of prey
at depth, and ultimately result in
reduced prey abundance.
Comment 26: Assessing the potential
overlap in the size of prey consumed by
Steller sea lions and those taken in the
commercial fishery is another key
analytical prong of the 2014 BiOp. The
2014 BiOp’s conclusion of limited
overlap and no jeopardy is not
consistent with the EIS, which found
that the ranges of size of prey selected
by Steller sea lions, as referenced above,
do overlap with the ranges of size of
prey taken in the groundfish fisheries in
the Aleutian Islands as calculated in
this analysis.
Response: As discussed in Section
5.2.2.1.2 of the EIS, overlap in size
between fish consumed by Steller sea
lions and those taken in the commercial
fishery is one of several necessary
conditions for competition for prey.
Overlap in size of prey eaten by Steller
sea lions and size of fish caught by the
groundfish fisheries is analyzed in
Section 5.2.2.1.2 of the EIS and Section
5.3.6 of the 2014 BiOp. The two
analyses consistently conclude that the
best available scientific information
indicates that the size ranges of prey
eaten by Steller sea lions and the size
range of fish taken in the groundfish
fisheries in the Aleutian Islands overlap.
The 2014 BiOp discusses that the best
available scientific information
indicates greater overlap in the size of
Atka mackerel and pollock taken by the
fisheries and Steller sea lions compared
to the overlap in the size of Pacific cod
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taken by the fisheries and Steller sea
lions and notes the limitations of the
available data and the uncertainty about
the extent of potential overlap.
Comment 27: The EIS’ approach
obscures the potential severity of the
proposed action for both Steller sea
lions in the central and western
Aleutian Islands and Steller sea lions as
a whole. Unfortunately, the population
trends for non-pups in the central and
western Aleutian Islands sub-regions
continue to decline, with a particularly
severe decline in abundance (a 60
percent decrease) observed in the
western Aleutian Islands between 2000
and 2012. A 2013 study found that the
probability of extinction in the western
Aleutian Islands is substantial even
within 50 years. The EIS fails to
acknowledge that even a modest
increase in pressure on prey resources
in the western Aleutian Islands could
precipitate a severe result, given that the
sub-population already faces a high risk
of extirpation. The EIS also fails to note
that such an outcome could have
equally severe ramifications outside of
the western Aleutian Islands, as the best
available science indicates that the
extirpation of Steller sea lions in the
western Aleutians would be significant
to the WDPS, and would be expected to
appreciably reduce the likelihood of
both their survival and recovery in the
wild.
Response: Sections 5.1.1.1 and 5.1.1.2
of the EIS describe the population
abundance and trends for the entire
WDPS of Steller sea lion pups and nonpups based on the best scientific
information available. The purpose and
need of the action focuses the
alternatives and the analysis of the
effects on the action area, the Aleutian
Islands, which is a portion of the range
of WDPS of Steller sea lions. Section
5.1.1.2 describes the population trend
for the entire WDPS of Steller sea lions
(i.e., Alaska and Russia/Asia), the entire
Alaska portion of the range of Steller sea
lions, and the population trends in each
sub-region in Alaska. This puts the
population trend in the action area in
context for the entire population. NMFS
notes that the abundance of WDPS
Steller sea lions in Alaska is increasing
at a statistically significant rate, though
the Steller sea lion population in the
western Aleutian Islands sub-region is
declining at a statistically significant
rate (see response to Comment 13).
The EIS analysis focuses on the effects
on Steller sea lions that occur in the
Aleutian Islands. EIS Section 5.1.1.2
discusses the process Johnson (2013)
developed for forecasting the population
of Steller sea lions and summarized the
probability of the population falling
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below a quasi-extinction threshold
within 50 and 100 years. A quasiextinction threshold is the population
size, greater than zero, at which a
population is ultimately doomed to
extinction due to genetic or physical
constraints of the small, remaining
population. NMFS examined three
methods: The Morris and Doak (MD)
method (Morris and Doak 2002), and
restricted and unrestricted agTrend
methods (Johnson 2013). The results for
each method were qualitatively the
same: There is approximately a zero
percent probability of quasi-extinction
of the Steller sea lion population in
Alaska as a whole within the next 100
years. Similarly, there is approximately
a zero percent probability of quasiextinction of the Steller sea lion
population from each of the sub-regions
within Alaska within the next 100 years,
with one exception for the western
Aleutian Islands sub-region. The
probability of extirpation of the Steller
sea lion population in the western
Aleutian Islands sub-region is
substantial even within 50 years.
The EIS states that competition with
fisheries may affect prey availability to
Steller sea lions. In the EIS, prey effects
are considered adverse effects because,
based on information available on prey
interaction, it is assumed there are no
beneficial effects from removal of prey.
Removal of prey can have direct and
indirect adverse effects on Steller sea
lions. The EIS discusses the potential
adverse effects to Steller sea lions from
the harvest of prey resources in the
Aleutian Islands under all of the
alternatives. After conducting this
analysis, and analysis of other factors
detailed in the EIS, NMFS concluded in
the 2014 BiOp that although there is a
substantial risk of extinction of the
Steller sea lion population in the
western Aleutian Islands based on
projected population trends, additional
management measures beyond those
implemented in this final rule were not
required to insure that groundfish
fisheries are not likely to jeopardize the
continued existence of the WDPS of
Steller sea lions or destroy or adversely
modify their designated critical habitat.
Comment 28: The EIS does not
comply with NEPA because it fails to
analyze the significance of the effects of
the action on endangered Steller sea
lions. The EIS did not determine the
population-level effects to Steller sea
lions from the indirect effects of fishing
on prey availability for the alternatives.
Rather than assess potential populationlevel consequences of each alternative
using objective metrics, prey effects
were analyzed purely in comparative
form by evaluating the percentage of
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critical habitat closed to each fishery
and the harvest of prey species in
critical habitat by each fishery
exclusively within the western and
central Aleutian Islands. The details on
local closures and catch within critical
habitat in Areas 541, 542, and 543,
while appropriate, are no substitute for
further analysis in a broader context,
including at the population level of the
WDPS of Steller sea lions. A populationlevel analysis for each alternative in the
EIS is essential to making a reasoned
choice among the proposed
management regimes for the western
and central Aleutian Islands because the
best available science as reflected in the
2008 Recovery Plan (see ADDRESSES),
provides a clear basis for the conclusion
that sub-regional declines have a
profound effect on the future of the
entire species.
Response: The EIS analysis provides
the decision makers with the ability to
compare and contrast the effects of the
alternatives on the human environment
consistent with the requirements of
NEPA by disclosing information on
fishery removals of prey and critical
habitat closures under the alternatives
within the action area. EIS Chapter 5
includes the evaluation of the effects of
the alternatives on Steller sea lion
incidental takes, disturbance, and
potential effects on prey using the best
available information. NMFS reviewed
the information available to inform the
analysis and determined that a
population-level analysis was not
necessary to determine the potential
effects of the alternatives on Steller sea
lions and their critical habitat because
the effects of fishing occur at the local
scale and the decision was which suite
of protections measures is appropriate
to meet the purpose and need for the
action. EIS Section 5.2.2 describes the
method used to analyze the effects of
the alternatives with the best available
scientific information and the
assumption applied to the analysis. Best
scientific information available includes
quantitative fisheries catch information
in time and space and critical habitat
locations in relation to fishing activity.
This information is used to compare and
contrast the effects of the alternatives.
Comment 29: We strongly disagree
with the core of NMFS’ rationale for this
proposal which is: (1) There are enough
fish in the Bering Sea and Aleutian
Islands for fishermen and Steller sea
lions to share; the small Steller sea lions
population only consumes a small
portion of fish we think are there; and
(2) we have designed a system with
enough spatial and temporal dispersal
of the fishing effort such that fishing
does not overlap with Steller sea lions
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critical habitat to a great degree. Yes, on
a mass balance basis, there are enough
fish for fishermen and Steller sea lions
to share. But Steller sea lions are not the
only inhabitants of this ecosystem; other
predators like seabirds, killer whales,
and seals depend on fish being
abundant in this area and some of those
species are showing worrisome declines
that may be related to too few fish in the
ocean.
Response: NMFS’ rationale for this
final rule is supported by the 2014 BiOp
(see ADDRESSES). The 2014 BiOp
concludes that the proposed action
would establish Steller sea lion
protection measures for the Atka
mackerel, Pacific cod, and pollock
fisheries in the Aleutian Islands subarea
that spatially and temporally disperse
fishing to mitigate potential competition
for prey resources between Steller sea
lions and these fisheries. Spatial and
temporal fishery dispersion is
accomplished through closure areas,
harvest limits, seasonal apportionment
of harvest limits, and limits on
participation in a fishery. The proposed
action would retain or modify existing
closure areas, harvest limits, seasonal
apportionment of harvest limits, and
limits on participation in ways that are
designed to limit competition for prey
with Steller sea lions.
NMFS agrees that a wide range of
species occurring in the action area prey
on groundfish. NMFS conservatively
manages the groundfish fisheries and
limits catch for ecosystem
considerations, including a conservative
optimum yield cap and a global control
rule. In the 2010 FMP BiOp, NMFS
analyzed the effects of the authorization
of groundfish fisheries, including the
prosecution of parallel groundfish
fisheries in Alaska state waters (see
ADDRESSES). The 2010 FMP BiOp is
comprehensive in scope and considers
the fisheries and the overall
management framework established by
the FMP to determine whether that
framework contains necessary measures
to ensure the protection of listed species
and critical habitat. The 2010 FMP BiOp
analyzed the pattern and level of fishery
removals occurring in different
groundfish fisheries and the policy
choices, decisions about exploitation
strategies, and stock and stock complex
assessments that set the harvest levels.
The 2014 BiOp identified the
importance of maintaining global, or
broad scale, limits on the harvest of
Atka mackerel, Pacific cod, and pollock.
Global limits are currently in place for
these three species. Regulations prohibit
directed fishing in the BSAI or GOA if
the projected spawning biomass of the
fish stock falls below 20 percent of the
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unfished spawning biomass (see
regulations at § 679.20(d)(4)). Atka
mackerel, Pacific cod, and pollock
fisheries have not experienced this type
of directed fishing closure since global
limits became effective in 2003 (68 FR
204, January 2, 2003).
Additionally, NMFS conducts
ecosystem modeling and incorporates
ecosystem considerations, including
predation, into the stock assessment
models. See response to comment 54.
Further, the EIS analyzes the impacts
of the proposed action and its
alternatives on a wide range of
ecosystem elements, including local fish
populations in Chapter 3, killer whales
and seals in Chapter 5, seabirds in
Chapter 6, and on the ecosystem as a
whole in Chapter 7.
Comment 30: NMFS improperly fails
to disclose in the final EIS the strong
dissenting views held by NMFS
scientists regarding the analysis and
conclusions contained in the draft 2014
BiOp. For example, Alaska Fisheries
Science Center scientists prepared a
memorandum stating that the spatial
overlap analysis in the draft 2014 BiOp
is fundamentally flawed and cannot be
used as a basis to evaluate spatial
overlap between fisheries and Steller
sea lions, nor support any conclusions
about whether jeopardy or adverse
modification to critical habitat may or
may not be expected to occur as a result
of the fishery action. The Steller Sea
Lion Coordinator for the Alaska Region
prepared a memo stating that the
exposure analysis in the draft 2014
BiOp was fundamentally flawed and
needed to be redone and the draft 2014
BiOp was not consistent with the NOAA
Scientific Integrity Policy because it
does not provide accurate or adequate
acknowledgement or discussion of
uncertainties or the probabilities
associated with both optimistic and
pessimistic projections for sea lions.
These memos indicate there was
internal dissent within NMFS regarding
the draft 2014 BiOp analysis that the EIS
relies upon for its discussion regarding
the environmental impacts of the
proposed action on Steller sea lions.
NMFS was obligated to disclose and
discuss these adverse opinions within
the body of the EIS and failed to meet
that obligation.
Response: NMFS is not obligated to
discuss pre-decisional internal agency
discussions in an EIS. However, NMFS
does discuss areas of controversy and
uncertainty in the Executive Summary
and in Chapter 5 of the EIS. NMFS relies
on EIS Chapter 5 for the analysis of the
impacts of the proposed action and its
alternatives on Steller sea lions. All
internal agency discussions were
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considered by NMFS in making the final
determination.
Comment 31: In our July 12, 2013,
comments on the draft EIS, we
recognized the effort of NMFS to
produce a thorough analysis that
articulates the anticipated impacts of a
complex proposal and applauded your
partnerships with the U.S. Coast Guard,
U.S. Fish and Wildlife Service and the
Alaska Department of Fish and Game in
developing the EIS. We identified
Alternative 5 as a practical combination
of some of the more beneficial aspects
of other alternatives for the Atka
mackerel, Pacific cod, and pollock
fisheries, based in large part in response
to stakeholder concerns identified
during scoping. We also recognized that
an intensive monitoring program will be
implemented with this alternative, and
adjustments made as results are
assessed. We did not have concerns
regarding the preferred alternative and
offered no additional suggestions for
further minimizing impacts. The EIS
continues to identify modified
Alternative 5 as the NMFS preferred
alternative. We support this decision
and recommend that this alternative be
selected in the Record of Decision.
Response: NMFS acknowledges the
comment.
Comments on Economic Issues
Comment 32: Reject the proposed
rollback of needed protections for
Steller sea lions. The proposed rule
reflects an abdication of NMFS’
stewardship obligations, does not
comply with NMFS’ legal or moral
obligations, is not consistent with the
best available science, and appears to
prioritize short-term economic gain
ahead of long-term sustainable
management. A decision to authorize
significant additional fishing pressure
even as Steller sea lions continue to
decline in the central and western
Aleutian Islands and fail to meet
recovery criteria overall would run
directly counter to those moral, ethical,
and legal obligations.
Response: This action implements a
suite of Steller sea lion protection
measures in the Aleutian Islands
groundfish fisheries that adheres to the
requirements of the ESA and MagnusonStevens Act, and are consistent with our
legal and stewardship obligations.
NMFS used the best available
commercial and scientific data to inform
development of the alternatives and
analyze their impacts on Steller sea
lions and the human environment. This
final rule maintains protections
consistent with the ESA for Steller sea
lions through numerous spatial and
temporal harvest limits and critical
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habitat area closures applicable to the
harvest of key Steller sea lion prey
species of Atka mackerel, Pacific cod,
and pollock and sustainable
management of the Aleutian Islands
groundfish fisheries.
Comment 33: In light of the protective
purpose of the ESA, NMFS must respect
Congress’ intent to give the benefit of
the doubt to the species. NMFS’ action
should be consistent with the ESA’s
conservation goals and the ESA’s policy
of institutionalized caution.
The proposed rule asserts that the
Council and NMFS understood that a
preferred alternative and any resulting
rule must meet the requirements of the
ESA before factors that minimize, to the
extent practicable, the economic
impacts on fishery participants could be
considered. This assertion
notwithstanding, the proposed rule
repeatedly states that certain lesser
protection measures have been selected
because they ‘‘balance’’ conservation of
Steller sea lions with economic
opportunities for the commercial
fisheries. The balancing approach
undertaken by the Council and NMFS is
unlawful because the ESA disallows
balancing the benefit to the species
against the economic and technical
burden on the industry. NMFS proposes
an unprecedented reversal of the ESA’s
mandated precaution and appears to
premise its analysis and conclusions on
an illegal shifting of the burden of proof
and an impermissible elevation of
economic considerations.
Under the ESA, economic
considerations may not be considered in
an agency’s determination of whether an
action is likely to cause jeopardy—a
determination that must be based
exclusively on the best available
science. Because the legislation reveals
a conscious decision by Congress to give
endangered species priority over the
primary missions of Federal agencies,
NMFS may not give equal priority to
economic concerns and its obligations
under the ESA.
Response: The purpose and need for
this action is explained in Section 1.3 of
the EIS. The purposes of this action are
to first, comply with the requirements of
the ESA by implementing Steller sea
lion protection measures in the Alaska
groundfish fisheries and, secondly, and
only after the first purpose is met, to
minimize, to the extent practicable,
economic impacts to the groundfish
fisheries from the measures.
In compliance with the ESA, NMFS
conducted a section 7 consultation on
the action implemented in this final
rule. During that consultation, NMFS
used the best scientific and commercial
data available. The results of the ESA
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section 7 consultation are documented
in the 2014 BiOp. In the 2014 BiOp,
NMFS concluded that the
implementation of the proposed action
was not likely to jeopardize the
continued existence of the WDPS of
Steller sea lions or destroy or adversely
modify designated Steller sea lion
critical habitat. Economic impacts were
not a factor in making that conclusion.
NMFS agrees that ESA section 7
analyses should err on the side of the
survival and recovery of the listed
species when the effects of an action are
uncertain. The analysis in the 2014
BiOp is a cautionary examination of the
effects of the groundfish fisheries on
Steller sea lions and their designated
critical habitat. NMFS assumes that
groundfish fisheries may compete with
Steller sea lions for prey. NMFS makes
this assumption even though there is
substantial scientific debate as to
whether such competition exists, or if it
does, whether the levels of removals in
the fishery would be sufficient to cause
competition in a way that would
impede the survival and recovery of
Steller sea lions. In Section 5.3.8 of the
2014 BiOp, NMFS presents a conceptual
model illustrating the pathways through
which Steller sea lions are exposed to
the stressor of reduced prey resources
due to the groundfish fisheries. NMFS’
conceptual model for Steller sea lion
behavioral and physiological responses
to reduced prey resources is shown in
Section 5.4 of the 2014 BiOp.
NMFS discusses where the available
data allow inference of the effects and
where the available data are equivocal
as to the effects on prey availability and
subsequent effects on Steller sea lion
fitness. In cases where the data are
equivocal, to avoid underestimating the
potential risk to the survival and
recovery of Steller sea lions, NMFS
assumes the groundfish fisheries may
compete with sea lions for prey and
assumes that the most extreme
physiological consequences would
result. In those cases, NMFS concluded
that local Steller sea lion populations
may be affected by the proposed action
but that the magnitude of the effect
would not be sufficient to appreciably
reduce the likelihood of survival or
recovery in either the central or western
Aleutian Islands sub-regions. Because
the action is not likely to appreciably
reduce the likelihood of survival or
recovery in the individual sub-regions,
the proposed action is not likely to
appreciably reduce the likelihood of
survival or recovery of the WDPS of
Steller sea lions. In other cases, the best
scientific data available support a
conclusion that the proposed groundfish
fisheries are not likely to cause localized
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depletion of prey and are not likely to
reduce the fitness of individual sea lions
or adversely modify their designated
critical habitat.
In developing the proposed action
and its alternatives, the Council and
NMFS did consider impacts on fishery
participants. NMFS is required to
consider the impacts of its fishery
management actions on fishery
participants under the MagnusonStevens Act, Executive Order 12866,
and the Regulatory Flexibility Act. In
the preamble to the proposed rule,
NMFS describes each regulatory
provision and provides an explanation
as to why the Council recommended
and NMFS approved and implemented
these regulatory provisions. These
explanations address why a particular
regulatory provision was included or
why a particular provision from the
2010 Interim Final Rule was revised or
removed. However, it is NMFS’
conclusions in its 2014 BiOp that the
regulatory provisions, individually and
collectively, are not likely to jeopardize
the continued existence of Steller sea
lions or destroy or adversely modify
designated Steller sea lion critical
habitat.
Comment 34: The EIS does not
comply with the National
Environmental Policy Act (NEPA)
because its statement of purpose and
need impermissibly elevates economic
considerations and impermissibly
qualifies NMFS’ conservation
obligations pursuant to the ESA and the
Magnuson-Stevens Act with a duty to
minimize costs, where practicable.
NMFS insists that in meeting ESA
requirements, it also needs to make sure
that the measures that it implements
minimize, to the extent practicable,
adverse economic impacts to the
groundfish fisheries. NMFS’ emphasis
on a balance of meeting the ESA
obligations while minimizing economic
impacts to the extent practicable is both
misplaced and unlawful.
Response: NMFS has determined that
the EIS complies with NEPA. The
purpose and need in the EIS is clear that
NMFS needs to implement Steller sea
lion protection measures to meet its
obligations under the ESA. The ESA is
clear that economic factors are not
considered by the consulting agency
(NMFS PRD) when making a
determination about the impact of this
action under a section 7 consultation.
NMFS SFD consulted on this action and
NMFS PRD determined that the
implementation of this action was not
likely to jeopardize the continued
existence of Steller sea lions and was
not likely to destroy or adversely modify
designated Steller sea lion critical
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habitat. This determination was made
without the consideration of economic
impacts, as discussed in response to
Comment 33.
At the same time, NMFS is managing
fisheries under the Magnuson-Stevens
Act, and the Magnuson-Stevens Act
requires NMFS to implement protection
measures in a manner that minimizes
adverse economic impacts, to the extent
practicable, on those affected by the
restrictions under the Steller sea lion
protection measures. Under the purpose
and need for this action, NMFS must
meet the requirements of the ESA and
do so in a manner that also meets the
requirements to manage fisheries to
minimize adverse economic impacts to
fishery participants and fishery
dependent communities, where
practicable, under the requirements of
Magnuson-Stevens Act.
Comment 35: According to the EIS,
NMFS’ assertion that it must balance
ESA obligations against the potential
cost of protection measures to the
fishery industry is grounded in National
Standard 7 of the Magnuson-Stevens
Act. While National Standard 7 does
encourage NMFS to minimize costs and
to avoid unnecessary duplication where
possible, NMFS may not give equal
priority to economic concerns under the
Magnuson-Stevens Act and its
obligations under the ESA because the
ESA reflects a conscious decision by
Congress to give endangered species
priority over the primary missions of
Federal agencies.
Despite the proposed rule’s frequent
and prominent invocation of the need to
minimize economic impacts, nowhere
does the proposed rule explain the legal
or policy genesis of this objective. While
National Standard 7 does encourage
NMFS to minimize costs and to avoid
unnecessary duplication where
possible, NMFS may not select and
elevate one Magnuson-Stevens Act
obligation from among the several
management obligations imposed by the
statute. In addition to National Standard
7, the Magnuson-Stevens Act includes
substantive obligations to conserve and
manage fishery resources and to protect
the marine ecosystem. NMFS cannot
simply ignore these additional
Magnuson-Stevens Act obligations or
prioritize financial benefit for the
fishing industry.
Response: Federal fishery
management in the Aleutian Islands as
a whole is designed to conserve and
manage fishery resources, protect the
marine ecosystem, and promote the
long-term healthy and stability of the
fisheries, in accordance with the
Magnuson-Stevens Act. The Council
and NMFS have fully considered the
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Magnuson-Stevens Act and the 10
National Standards in developing these
regulations (see EIS Section 13.2.4).
The statement of purpose and need
specifies the underlying purpose and
need to which NMFS is responding in
proposing the alternatives, including the
proposed action. As explained in the
EIS, the need to comply with section 7
of the ESA is the primary driver for
implementing Steller sea lion protection
measures. As NMFS has stated
previously in the preamble to the
proposed rule and in this preamble,
NMFS did not consider economic
factors when determining if the
proposed action would jeopardize the
continued existence of Steller sea lions
or destroy or adversely modify their
designated critical habitat. See response
to Comment 33 and the 2014 BiOp for
additional detail.
However, after NMFS meets its
requirements under the ESA, NMFS also
needs to make sure that the measures
that it implements minimize, to the
extent practicable, adverse economic
impacts to groundfish fishery
participants under the MagnusonStevens Act. This is not the same as
giving equal priority to economic
concerns and ESA obligations.
This final rule implements an
extensive suite of Steller sea lion
protection measures that impose
economic costs on the fishing industry
compared to no protection measures.
This final rule also relaxes some Steller
sea lion protection measures
implemented under the 2010 Interim
Final Rule. These changes to Steller sea
lion protection measures were
recommended by the Council based on
the best scientific information available.
NMFS conducted a section 7
consultation on the Council’s
recommendation under the
requirements of the ESA (see 2014
BiOp) and determined that the Council’s
recommendation was not likely to
jeopardize the continued existence of
Steller sea lions or destroy or adversely
modify their designated critical habitat.
Removing or modifying specific
protection measures and allowing some
increases in fishing is not the same as
prioritizing financial benefit for the
fishing industry. See the preamble to the
proposed rule for a complete discussion
of the specific Steller sea lion protection
measures that are modified or removed
with this final rule.
Comment 36: The approach of the
Council and NMFS was to ensure that
a preferred alternative met the
requirements of the ESA before
considering factors that minimize, to the
extent practicable, the economic
impacts on fishery participants.
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Response: NMFS agrees and
acknowledges the comment.
Comment 37: In formulating and
selecting NEPA alternatives, NMFS may
not select and elevate one MagnusonStevens Act obligation from among the
several management obligations
imposed by the statute. The MagnusonStevens Act includes substantive
obligations to conserve and manage
fishery resources and to protect the
marine ecosystem. NMFS cannot simply
ignore these additional MagnusonStevens Act obligations or prioritize
financial benefit for the fishing industry.
Response: Federal fishery
management in the Aleutian Islands as
a whole is designed to conserve and
manage fishery resources, protect the
marine ecosystem, and promote the
long-term health and stability of the
fisheries. The Council and NMFS have
fully considered the Magnuson-Stevens
Act and the National Standards in
developing this action, its alternatives,
and the implementing regulations.
Specifically, EIS Chapter 3 details how
NMFS considered the effects of the
alternatives on target species; EIS
Chapter 4 details how NMFS considered
the effects of the alternatives on nontarget species; Chapter 5 details how
NMFS considered the effects of the
alternatives on marine mammals;
Chapter 6 details how NMFS considered
the effects of the alternatives on
seabirds; and Chapter 7 details how
NMFS considered the effects of the
alternatives on the ecosystem. NMFS
responds to public comments on each of
the Magnuson-Stevens Act’s 10 National
Standards in EIS Section 13.2.4.
This final rule implements an
extensive suite of Steller sea lion
protection measures that impose
economic costs on the fishing industry
compared to no protection measures.
This final rule also relaxes some
restrictions on fishing implemented by
the 2010 Interim Final Rule, thereby
relieving some of the costs imposed by
that action. NMFS has determined that
these specific restrictions were not
necessary to insure that groundfish
fisheries in the BSAI are not likely to
jeopardize the continued existence of
Steller sea lions or destroy or adversely
modify their designated critical habitat
and therefore could be removed.
Comment 38: The proposed rule
reflects a positive first step towards
establishing an appropriate management
regime that adequately protects the
Steller sea lion without imposing
unnecessary impacts on the Alaskan
economy, as did the 2010 Interim Final
Rule. The Steller sea lion population in
Alaska has increased substantially since
2000. While populations in some sub-
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regions have been slower to respond
than others, minimal, if any, evidence
indicates that human activity such as
fishing and the resulting variations in
prey availability negatively affect the
Steller sea lion population. In light of
this tenuous connection, the harsh
fishing restrictions imposed by the 2010
Interim Final Rule were unsupported. In
contrast, the proposed rule presents a
more appropriate management decision,
which would ease many of those
restrictions and enable increased
fishing. The proposed rule is both
consistent with the balanced
recommendation of the Council and
supported by adequate analysis of the
best available science presented in the
2014 BiOp.
Response: The Steller sea lion
protection measures implemented by
the 2010 Interim Final Rule were based
on the 2010 FMP BiOp (see ADDRESSES)
and supported by the best available
information at that time.
Comment 39: The proposed rule will
benefit Alaskans, their communities, the
commercial fishing fleet, and the
seafood processing industry by easing
the severe fishing restrictions set forth
under the 2010 Interim Final Rule. That
rule, which resulted in harsh economic
impacts, resulted from the hypothesis
that groundfish fisheries are causing
nutritional stress to the Steller sea lions.
Subsequent independent, expert peer
reviewers have questioned the scientific
basis for and the legitimacy of that
hypothesis. The State’s interests will be
best served through implementation of a
management structure that balances the
interests of fishing opportunities with
scientifically defensible protections for
Steller sea lions. The proposed rule
would accomplish those objectives.
Response: NMFS acknowledges the
comment.
Comment 40: The proposed rule will
eliminate several of the most severe
limitations implemented under the 2010
Interim Final Rule, including complete
retention restrictions for Atka mackerel
and Pacific cod in Area 543, and
closures for pollock fishing in
designated critical habitat in Areas 543,
542, and 541. NMFS would replace
these complete closures with more
targeted temporal and spatial
restrictions and catch limits based on
available data showing the potential
overlap between Steller sea lion
occurrence and the fisheries. The
proposed rule would retain significant
restrictions on fishing that are intended
to prevent any potential effects of
fisheries on Steller sea lions, regardless
of whether or not the effects are actually
occurring. The proposed rule takes a
very precautionary approach to
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mitigation, aiming for a very high degree
of protection for Steller sea lions while
reducing, but not eliminating, impacts
on fishery-dependent industry and
communities.
Response: NMFS acknowledges the
comment.
Comment 41: We are encouraged that
the economic impacts of the 2010
Interim Final Rule will be significantly
reduced if the measures in the proposed
rule are approved. The new Steller sea
lion protection measures under this
proposed rule retain a significant
amount of economic impact to the
Amendment 80 sector relative to what
was in place prior to 2011. After
reviewing the proposed rule and the
specifics of proposed fishery measures
and groundfish quotas, we estimate that
the proposed Steller sea lion measures
would restore a little less than half of
the loss to the Amendment 80 sector
from the 2010 Interim Final Rule.
Response: NMFS acknowledges the
comment.
Comment 42: The proposed rule will
help to alleviate some of the economic
impact that the 2010 Interim Final Rule
has had on the Alaskan economy. The
proposed rule allows for increased
flexibility for Alaskan vessels to harvest
Atka mackerel, Pacific cod, and pollock,
which will in turn support the seafood
processing industry and the local
economies of several remote coastal
communities. The combination of
reduced closures and increased catch
limits creates a more effective and
targeted management system in light of
the minimal evidence of competition for
prey between the fisheries and the
Steller sea lion. Our family business is
encouraged by opportunities granted
under the proposed rule that allow
harvest in Areas 541, 542, and 543
otherwise not available under the 2010
Interim Final Rule.
Response: NMFS acknowledges the
comment.
Comments on Community Issues
Comment 43: The measures put in
place with the 2010 Interim Final Rule
hit Adak harder than any other
community. Not only was the
immediate local impact severe, the
resulting loss of activity impacted long
term revenue to Adak attributable to
those fiscal years. We support the
proposed regulations because NMFS
provided a well-written and wellreasoned justification in the 2014 BiOp
for the determination that the proposed
action will not result in jeopardy or
adverse modification.
The proposed rule reduces the
negative social and economic impacts to
the City of Adak and introduces the
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economic certainty to allow for the
processing plant operators to develop
plans that will keep the operation, and
all of its beneficiaries, employed or
otherwise engaged. Re-opening Atka
mackerel fishing in limited areas west of
Adak will provide more opportunity for
fuel sales and logistical support needs of
the Atka mackerel catcher/processor
fleet. This should provide a partial relief
to the Adak community from the
impacts of lower fuel sales resulting
from the 2010 Interim Final Rule. The
proposed rule would allow pollock
fishing in portions of the critical habitat.
This change will allow the pollock
allocation, granted to the Aleut
Corporation for the purpose of economic
development, to be harvested in the
Aleutian Islands. This will provide the
opportunity to generate the necessary
revenues to address the economic
development needs the community has
required for more than a decade.
Response: NMFS acknowledges the
comment.
Comment 44: The proposed rule
better utilizes the available information
and properly takes into account relevant
factors to ensure the Steller sea lion
population avoids jeopardy while
maintaining viable economic
opportunities for Aleut Corporation
shareholders. Aleut Corporation
shareholders directly rely on Steller sea
lions for subsistence needs. No single
group would be harmed greater by the
lower population trends of the Steller
sea lions. However, Steller sea lion
conservation must be balanced with the
ability for Aleuts to ‘‘call home’’ their
traditional lands that are economically
based on commercial fisheries. The
proposed rule maintains a high level of
continued protection around critical
habitat (especially in Areas 543 and
542) with more restrictive measures the
farther west one goes. The proposed rule
also allows for increased fishing
opportunities, the economic lifeblood of
the Aleutian region.
Response: NMFS acknowledges the
comment.
Comment 45: Continue to consider
the economic impacts of decisions on
local, small-scale, commercial
fishermen that deliver their catches to
on-shore processing facilities. The
catcher/processors play an important
economic role to the Aleutian Islands
region, but so do local, family
businesses who purchase fuel and
supplies from the community of Adak
and who deliver catch to in-state
processing facilities who greatly
contribute to the lifeblood of economic
development to rural Alaskan
communities like Adak.
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Response: NMFS acknowledges the
comment. NMFS notes that it analyzed
the impacts to commercial fishermen in
EIS Chapters 8 and 9, the initial
regulatory flexibility analysis for the
proposed rule, and in the final
regulatory flexibility analysis for the
final rule.
Comments on the EIS Alternatives
Comment 46: The 2014 BiOp is much
improved and addresses the current
conduct of the fishery in a
straightforward manner. The 2014 BiOp
also suggests that the areas we now
know are important feeding areas for
Steller sea lions (inside 10 nm) were
already mostly closed to Atka mackerel,
Pacific cod, and pollock fishing even
before the 2010 Interim Final Rule was
implemented. This indicates that (1)
more of the 2010 Interim Final Rule’s
restrictions could have been relaxed; (2)
the alternatives considered by NMFS
should have been expanded to include
even more fishing; and (3) the preferred
alternative is excessively protective.
More could have been done using the
new information in the 2014 BiOp to
reduce restrictions in the regulations
without impacting Steller sea lions,
particularly in the absence of direct
information supporting the theory that
the groundfish fisheries adversely
impact Steller sea lions.
Response: The alternative selected by
the Council and implemented by this
rule was selected after considering other
alternatives that would have allowed
more fishing opportunities in the
Aleutian Islands. Although an
alternative suite of management
measures could have been selected and
reviewed under section 7 of the ESA,
the management measures implemented
here represent a precautionary approach
to management in recognition of the
requirements of the ESA. Additional
detail on the precautionary nature of
this action relative to other actions
considered is provided in the EIS and
the 2014 BiOp.
Comment 47: NMFS must select
Alternative 1 (status quo). Among the
alternatives evaluated in the EIS,
Alternative 1 is the only viable one
consistent with the conservation
obligations imposed by the ESA and the
Magnuson-Stevens Act. The current
protection measures for Steller sea lions
in the central and western Aleutian
Islands reflect the minimum steps
NMFS must take to address ongoing
declines and to protect Steller sea lions.
The outcome of the recent litigation
over the 2010 FMP BiOp and the status
quo Steller sea protection measures
compels selection of Alternative 1 to
maintain current protections. The 2010
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FMP BiOp itself counsels in favor of
Alternative 1, as any lesser protection
measures than those established by 2010
Interim Final Rule likely are unlawful
under the ESA. The 2010 FMP BiOp’s
conclusion reflects NMFS’ longstanding and well-documented rationale
that commercial fisheries adversely
affect Steller sea lions by competing
with them for prey. Unless and until
NMFS can determine that the threats
that have resulted in ongoing declines
have abated, the management measures
described in Alternative 1 represent the
maximum spatial extent and amount of
fishing that can be permitted by the
commercial groundfish fisheries.
Response: NMFS disagrees.
Alternative 5 best meets the purpose
and need for this action. As NMFS has
noted earlier in response to other
comments, this action is distinct from
the action considered in the 2010 BiOp
and includes new information not
considered in the 2010 BiOp. NMFS has
determined that the regulations
implementing Alternative 5 are in
compliance with the Magnuson-Stevens
Act, as detailed in the EIS and Record
of Decision. NMFS has determined that
Alternative 5 is in compliance with the
ESA, as detailed in the 2014 BiOp. The
2014 BiOp concludes that the proposed
action would establish Steller sea lion
protection measures for the Atka
mackerel, Pacific cod, and pollock
fisheries in the Aleutian Islands subarea
that spatially, temporally, and globally
disperse fishing to mitigate potential
competition for prey resources between
Steller sea lions and these fisheries.
Spatial and temporal fishery dispersion
is accomplished through closure areas,
harvest limits, seasonal apportionment
of harvest limits, and limits on
participation in a fishery. The proposed
action would retain or modify existing
closure areas, harvest limits, seasonal
apportionment of harvest limits, and
limits on participation in ways that are
designed to limit competition for prey
between fisheries and Steller sea lions.
Comment 48: If NMFS wants to take
the precautionary approach that this
situation really requires, it could simply
prohibit fishing and monitor to see what
happens to the Steller sea lion
population over the next 5 to 10 years.
Prohibition or severe reduction of
fishing activity in the Aleutian Islands
is the one and only tool to slow and
reverse the Steller sea lion decline. The
economic impact of prohibiting
commercial fishing or severely restrict it
in Areas 543 and 542 would not be
large, particularly not compared to the
commercial fisheries prosecuted in the
Bering Sea. NMFS would rather allow a
very small fishery with $12 million
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dollars per year of ex vessel revenue in
2012 (and perhaps 10 percent of that in
net profit) to go forward and expand,
than to take a precautionary approach
using more current science and reduce
or eliminate fishing in the area to save
the last 1,000 western Aleutian Islands
Steller sea lions.
Response: NMFS analyzed an
alternative in the EIS, Alternative 6, that
would prohibit retention of Atka
mackerel, Pacific cod, and pollock in
the Aleutian Islands (Areas 543, 542,
and 541, and adjacent State of Alaska
waters). The economic impacts of
Alternative 6 are detailed in EIS Chapter
8. The impacts of Alternative 6 on
Steller sea lions are detailed in EIS
Chapter 5. NMFS did not choose
Alternative 6 as the preferred alternative
because while Alternative 6 would
provide the most protection to Steller
sea lion prey species, it is not
practicable because it would restrict
fisheries beyond what is necessary to
meet the ESA requirement to insure the
fisheries are not likely to jeopardize the
continued existence of Steller sea lions
or destroy or adversely modify
designated Steller sea lion critical
habitat. Therefore, Alternative 6 would
not best meet the purpose and need for
this action (see Section 1.3 of the EIS).
Comment 49: NMFS has failed to
consider reasonable alternatives that
would provide additional protections
for Steller sea lions. Instead of
constructing and evaluating an
alternative that would provide
improved protections for Steller sea
lions, NMFS evaluated closing the
entire action area to all fishing.
Alternative 6 is not responsive to the
concerns raised in comments or
sufficient to satisfy NMFS’ legal
obligations. Public comments did not
propose closing the entire Aleutian
Islands to all fishing for Atka mackerel,
Pacific cod, and pollock. A large closure
might be a reasonable alternative, but it
is not a mechanism through which
NMFS can improve fisheries
management choices in such a way as
to better ensure that ecosystem
considerations, like the needs of
predators, are taken into consideration
in setting catch levels. It appears that,
upon recognizing the glaring deficiency
in its draft, NMFS decided to select the
most extreme version of a protective
alternative rather than giving careful
thought to a useful evaluation of
potential changes in management.
NMFS’ choice is both disappointing and
insufficient.
Response: Alternative 6 was designed
to be responsive to the request in public
comment on the draft EIS for a more
protective alternative than Alternative 1.
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Some commenters suggested that NMFS
consider specific measures that were
intended to be more protective than the
management measures implemented
under Alternative 1, other commenters
did not provide specific measures. As
discussed in EIS Section 2.3, after
careful analysis, NMFS found that many
of the specific measures suggested in
public comments were not more
conservative than Alternative 1. Some of
the specific measures suggested in
public comments were already
incorporated in the alternatives or in
other ongoing NMFS actions. The
remaining specific measures proposed
in public comment were not a
reasonable alternative to the proposed
action. The proposed action is a suite of
Steller sea lion protection measures.
Steller sea lion protection measures
control the location, gear type, and
timing of fishing for Atka mackerel,
pollock, and Pacific cod in the Aleutian
Islands. A number of the specific
measures proposed in public comments
would not control the location, gear
type, and timing of fishing for Atka
mackerel, pollock, and Pacific cod in
the Aleutian Islands (see EIS Section 2.3
for more detail). And, as explained in
the response to Comment 59, NMFS is
already working to ensure that
ecosystem considerations, like the needs
of predators, are taken into
consideration in setting catch levels.
NMFS carefully designed Alternative
6 to be a Steller sea lion protection
measure that is more conservative than
Alternative 1 and provides for effects
that can be analyzed and compared to
the other alternatives. Further,
Alternative 6 does not close the action
area to all fishing. As explained in EIS
Section 2.1.6, Alternative 6 would
prohibit retention of Atka mackerel,
Pacific cod, and pollock in the Aleutian
Islands, species identified as important
prey species for Steller sea lions.
Vessels would be prohibited from
directed fishing for these species and
prohibited from retaining any incidental
catch of these species while directed
fishing for other groundfish targets (e.g.,
Pacific ocean perch).
Comment 50: NMFS’ addition of
Alternative 6 to the final EIS required a
supplemental draft EIS because
Alternative 6 is outside of the range of
alternatives analyzed in the draft EIS.
The most environmentally protective
alternative included in the draft EIS was
Alternative 1, while Alternatives 2, 3, 4,
and 5 all allow more fishing. The draft
EIS specifically stated that alternatives
more protective than the status quo
were not analyzed. Alternative 6 was
specifically added to the final EIS to
have an alternative that is more
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restrictive of fishing relative to
Alternative 1 for analysis and
comparison with the less restrictive
protection measures under the other
alternatives. Because Alternative 6
represents an outlier alternative that
may not be offered for the first time in
the EIS, NMFS must refrain from issuing
a record of decision and issue a
supplemental draft EIS—subject to
public notice and comment—instead. In
addition to Alternative 6, the
supplemental draft EIS should analyze
the other feasible conservation
alternatives identified in public
comments.
Response: A supplement to an
environmental impact statement is
required ‘‘if: (i) The agency makes
substantial changes in the proposed
action that are relevant to
environmental concerns; or (ii) There
are significant new circumstances or
information relevant to environmental
concerns and bearing on the proposed
action or its impacts’’ (40 CFR
1502.9(c)). The addition of Alternative 6
in the final EIS did not make substantial
changes in the proposed action that
were relevant to environmental
concerns and did not provide significant
new circumstances or information
relevant to environmental concerns and
bearing on the proposed action or its
impacts. Therefore NMFS was not
required to supplement the draft EIS
before releasing the final EIS and record
of decision. Additionally, EIS Section
2.3 analyzes the conservation
alternatives identified in public
comments and explains why they were
not reasonable.
Comment 51: NMFS should rescind
the EIS and prepare a new draft EIS
that—consistent with NMFS’
acknowledged obligations pursuant to
NEPA, ESA, and the Magnuson-Stevens
Act—includes a lawful statement of
purpose and need, evaluates a full range
of alternatives, objectively accounts for
the full context and severity of the
potential indirect effects of fishing on
Steller sea lions, and transparently
addresses dissenting scientific views
within NMFS.
Response: NMFS disagrees. NMFS has
determined that the EIS is consistent
with NEPA, the ESA, and the
Magnuson-Stevens Act. The EIS
includes a lawful statement of purpose
and need (Section 1.3), evaluates a full
range of alternatives (Chapter 2),
objectively accounts for the full context
and severity of the potential indirect
effects of fishing on Steller sea lions
(Chapter 5), and transparently addresses
dissenting scientific views (Executive
Summary, Chapter 1, and Chapter 5).
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Comment 52: NMFS made a passing
attempt in the EIS at exploring the
effects of an alternative harvest strategy
for Atka mackerel on the Atka mackerel
population. In concert with explicitly
considering current predation mortality
and the projected predation mortality
from an increasing Steller sea lion
population, such a model could begin to
formally address ecosystem concerns.
NMFS, however, failed to analyze such
an alternative model structure.
Response: As explained in EIS
Section 2.3, evaluations of alternative
stock assessment model structures and
alternative harvest strategies do not
meet the purpose and need for this
action to implement Steller sea lion
protection measures. The commenter’s
recommendation addresses the stock
assessment process used by the Council
and NMFS on an annual basis. NMFS
conducts this work through the annual
harvest specification process. That
process is explained in the final rule
that implements the annual final 2014
and 2015 harvest specifications (79 FR
12108, March 4, 2014).
NMFS notes that the process for
modifying fishery stock assessment
models for Atka mackerel or any other
groundfish species does not require
rulemaking to develop, analyze, or
implement alternative model structures.
NMFS continues to develop techniques
to evaluate the effects of the groundfish
fisheries and management system on the
ecosystem. NMFS continues to develop
state-of-the-art ecosystem models with a
goal to better evaluate risks to ecosystem
given current and alternative harvest
strategies. This scientific work is
ongoing and, while important to
groundfish fishery management, it is
outside the scope of this rulemaking
process. This action implements
regulations to restrict vessels from
fishing in specific areas and at specific
times to limit competition of prey
resources with Steller sea lions.
Comment 53: NMFS should not
consider only changes to the restrictions
on fishing times and areas under the
Steller sea lion protection measures.
Any of the guidelines that affect
fisheries that compete with Steller sea
lions should be subject to review in this
process. Public comments on the draft
EIS suggested measures intended to
provide a starting place from which
NMFS could construct such an
alternative. NMFS incorrectly rejected
any ideas designed to alter or affect the
harvest strategy in the Aleutian Islands.
Response: NMFS has considered more
than changes to the time and area
measures. NMFS also considered a
range of harvest limits. This final rule
implements harvest limits for the Atka
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mackerel, Pacific cod, and pollock
fisheries in addition to the season and
area closures.
In EIS Section 2.3, NMFS analyzed
the ideas suggested in public comments
to change the harvest strategy in the
Aleutian Islands. NMFS explains that
changes to the harvest strategy are
outside the scope of this action and do
not meet the purpose and need. The
revisions to the harvest strategy
proposed in public comment would not
provide the necessary protections for
Steller sea lions. Revisions to the
harvest strategy recommended by the
commenter do not meet the purpose and
need for the action because they do not
provide additional protections for
Steller sea lions by reducing potential
competition between Steller sea lions
and fishery harvests when and where
Steller sea lions forage. As explained
throughout the EIS, the Steller sea lion
protection measures are a suite of
measures that regulates fishing activity
by applying seasons, area closures, and
harvest limits all with the goal of
reducing potential fishery competition
for Steller sea lion prey when and where
Steller sea lions forage.
NMFS is continually striving to
understand the prey requirements of
Steller sea lions and minimize potential
competition at the finest scale possible
with the best available information.
Further, NMFS does not change stock
assessment methods or harvest strategy
through regulations. The Council and
NMFS are continually assessing the
scientific methods used for stock
assessment. NMFS uses the best
available scientific information to
improve stock assessment methods and
evaluate ecosystem considerations. An
example of this is the decision to
establish separate ABCs and TACs for
Pacific cod in the Bering Sea and
Aleutian Islands. Starting in January
2014, as recommended by the Council
and based on genetic and other
morphological evidence, NMFS
separated Aleutian Islands Pacific cod
from the Bering Sea Pacific cod stock.
This results in lower maximum
potential catches in the Aleutian Islands
due to the establishment of separate
OFLs, ABCs, and TACs in the Bering
Sea and Aleutian Islands. With this
split, the TAC in the Aleutian Islands
results in a maximum harvest of roughly
half the previous average harvest rate in
the Aleutian Islands prior to the split,
and lower fishing mortality rates, than
those proposed by the commenter. The
impacts of the implementation of an
Aleutian Islands Pacific cod TAC are
discussed in EIS Section 3.3, however,
that action was separate from the action
implemented in this final rule.
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Comment 54: In Section 2.3.2 of the
EIS, NMFS incorrectly concludes that
predator needs are fully incorporated
into the existing process for setting
catch levels. This statement is belied by
jeopardy and adverse modification
conclusions reached in NMFS’ previous
biological opinions for Steller sea
lions—if the needs of Steller sea lions
were properly accounted for in setting
catch levels, then that catch would not
result in jeopardy to the population or
adverse modification of critical habitat.
NMFS’ insistence that the needs of
predator are incorporated in the harvest
specifications process is contrary to
NMFS’ own identified gaps in applying
ecosystem-based fisheries management.
There is currently no explicit
accounting of predation mortality in the
stock assessments for Atka mackerel,
Aleutian Islands pollock, or Aleutian
Islands Pacific cod. The natural
mortality parameters used in these
models are constant, or change little
from year to year. The parameters used
have little relation to trends in predator
populations or the actual level of
predation. In contrast, when predation
mortality is explicitly considered in
prey population models, the biological
reference points generated are generally
more conservative (i.e., recommend
higher standing biomass). Moreover,
development of a process through
which to account explicitly for predator
needs was considered in the draft 2010
FMP BiOp. This draft also called for a
process to address the dietary needs of
sea lions and other predators as fishing
levels are set. Accounting fully for
predator needs in setting catch levels
would be an important step toward
ecosystem-based management, and this
NEPA process is an appropriate venue
through which to do so explicitly.
Response: NMFS disagrees with the
comment’s characterization of the EIS.
In Section 2.3.2, NMFS explains that the
needs of predators are incorporated in
the harvest specifications process by
applying natural mortality (including
predation) for a target species stock
assessment. Additionally, NMFS
scientists are evaluating the current
groundfish management system relative
to the impact on the ecosystem. NMFS
scientists have developed multispecies
models that explicitly incorporate
predator/prey relationships. Results
from these models have generally
concluded that the assumptions used for
harvest limit recommendations under
our existing stock assessment process
are generally conservative.
NMFS scientists have compared using
a constant, time-invariant natural
mortality in stock assessment models to
using models in which natural mortality
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includes time- (and age-) varying
estimates of predation mortality
(Hollowed, A. B., J. N. Ianelli, and P. A.
Livingston. 2000. Including predation
mortality in stock assessments: A case
study involving Gulf of Alaska walleye
pollock. ICES Journal of Marine Science,
57, pp. 279–293). These and other
studies indicate that estimates are
uncertain and in such cases, using a
natural mortality that is more
conservative is more risk averse (Clark,
W.G. 1999. Effects of an erroneous
natural mortality rate on a simple agestructured model. Can. J. Fish. Aquat.
Sci. 56:1721–1731).
NMFS’ ongoing scientific work to
evaluate predator/prey relationships
and develop multispecies models is
separate from the rulemaking process
NMFS conducted for this final rule to
restrict vessels from fishing in specific
areas and at specific times to limit
potential competition with Steller sea
lions.
NMFS disagrees with the comment’s
characterization of the previous
biological opinions. As explained in the
EIS and all previous BiOps, NMFS’
concern has been the potential
competition of fisheries with Steller sea
lions for prey when and where Steller
sea lions forage. NMFS has imposed
Steller sea lion protection measures that
include seasonal restrictions, area
closures, and catch limits with the goal
of reducing the potential of fisheries to
affect Steller sea lion foraging
opportunities. These are coupled with
fine-scale fishery evaluations following
the surgical approach outlined in the
2008 Recovery Plan, the 2010 FMP
BiOp, the 2014 BiOp, and the latest
information regarding sea lion behavior
and prey resources as described in EIS
Chapters 3 and 5. Implementing the
Steller sea lion protection measures that
regulate fishing activity, as is being
done by this final rule, is a separate
action from NMFS’ ongoing scientific
work to understand and model
predator/prey relationships and
evaluate the impacts of fish harvest on
the ecosystem using the latest scientific
techniques.
tkelley on DSK3SPTVN1PROD with RULES2
Comments on Additional Issues
Comment 55: The Council and NMFS
have taken significant steps to move
toward holistic, ecosystem-based
management. Continue that momentum
by seeking a durable, consensus-based
resolution to controversies about the
interaction between industrial fisheries
and sea lions. Instead, the Council has
suggested and NMFS has adopted new
measures certain to continue the
controversy and poor management.
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Those choices are disappointing and
potentially illegal.
Response: The Council and NMFS
seek consensus-based resolutions where
possible, and when such resolutions are
consistent with legal requirements.
However, the Council and NMFS
recognize that controversial issues such
as the potential interaction between
commercial fisheries and Steller sea
lions—a subject of substantial scientific
debate (see EIS Executive Summary)—
are rarely resolved by consensus.
Furthermore, Section 302(e) of the
Magnuson-Stevens Act requires that all
Council decisions be made by majority
vote, recognizing the fact that not all
controversies or policy choices can be
resolved by consensus.
The fact that NMFS is implementing
regulations that the commenter
disagrees with is not a basis to conclude
that they represent poor management or
are illegal.
Comment 56: Please do not allow any
more fishing that would in any way
impact Steller sea lions. We humans
take too much as it is. And we have
alternatives like a vegan diet, as well as
eco-tourism to make money off these sea
lions over and over again by charging
people to observe them. Keep the
current fishing restrictions in place, and
keep in mind that the population of
these sea lions has not recovered. Show
some backbone for your convictions and
do not cave in to fishing interests’
pressure.
Response: NMFS acknowledges the
comment.
Comment 57: Closing areas to
commercial fishing and enforcing these
closures is the only way to protect
Steller sea lions from the firearms of
commercial fishermen.
Response: NMFS has worked closely
with the Council and the State of Alaska
to eliminate illegal shooting of Steller
sea lions. EIS Section 5.3.4 provides
additional information on the
occurrence of illegal shooting. Closing
commercial fishing is not required to
eliminate illegal shooting.
Comment 58: As fishermen in these
waters, we are appalled that some
public comments indicate fishermen
evoke actions intended to harm Steller
sea lions. At no time do we ever harass
marine mammals.
Response: NMFS acknowledges the
comment.
Comment 59: Are you telling the
public to go to an inaccurate site in your
Federal Register notice to stifle public
comment?
Response: NMFS encourages public
comment. NMFS checked all of the Web
sites in the Federal Register notice for
the proposed rule (79 FR 37486) and
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70307
they are all correct, including the
instructions for submitting comments
on https://www.regulations.gov.
Additionally, the Federal Register
notice provides instructions for the
public to mail written comments to the
Sustainable Fisheries Division, NMFS
Alaska Region.
Classification
Pursuant to section 305(d) of the
Magnuson-Stevens Act, the NMFS
Assistant Administrator has determined
that this final rule is consistent with the
FMP, other provisions of the MagnusonStevens Act, and other applicable law.
This final rule has been determined to
be not significant for the purposes of
Executive Order (E.O.) 12866.
Formal consultation under section 7
of the ESA was completed for this
action. On April 2, 2014, NMFS issued
a biological opinion (2014 BiOp) on the
action. The 2014 BiOp found that the
implementation of the action and
supporting research described in
Chapter 11 of the EIS were not likely to
jeopardize the continued existence of
endangered Steller sea lions or result in
the destruction or adverse modification
of their critical habitat.
NMFS prepared a final EIS for this
action. The final EIS was filed with the
Environmental Protection Agency on
May 16, 2014. A notice of availability
was published on May 23, 2014 (79 FR
29759). In approving this action, NMFS
issued a Record of Decision identifying
the selected alternative. A copy of the
Record of Decision is available from
NMFS (see ADDRESSES).
Pursuant to Executive Order 13175,
NMFS mailed letters to approximately
660 Alaska tribal governments, Alaska
Native Claims Settlement Act (ANCSA)
corporations, and related organizations
providing information about the EIS and
soliciting consultation and coordination
with interested tribal governments and
ANCSA corporations. NMFS received
no comments on the EIS from tribal
governments or ANCSA corporation
representatives. Section 1.7 of the EIS
provides more detail on NMFS’
outreach with Alaska tribal governments
and ANCSA corporations (see
ADDRESSES). NMFS received one
comment on the proposed rule from
Kawerak, Inc., a regional non-profit
tribal consortium of the Bering Strait
Region. NMFS summarized and
responded to this comment under
Response to Public Comments, above
(see Comment 12). NMFS received one
comment from Aleut Enterprise, LLC, a
wholly owned subsidiary of the Aleut
Corporation. NMFS summarized and
responded to this comment under
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Public and Chief Counsel for Advocacy
Comments on the Proposed Rule
Final Regulatory Flexibility Analysis
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Response to Public Comments, above
(see Comments 10, 11, 43, and 44).
NMFS published a proposed rule on
July 1, 2014 (79 FR 37486). An initial
regulatory flexibility analysis (IRFA)
was prepared and summarized in the
‘‘Classification’’ section of the preamble
to the proposed rule. The comment
period closed on August 15, 2014.
NMFS received 17 letters of public
comment on the proposed rule. No
comments were received on the IRFA,
or on the small entity impacts of this
rule. The Chief Counsel for Advocacy of
the SBA did not file any comments on
the proposed rule.
This final regulatory flexibility
analysis (FRFA) incorporates the IRFA,
a summary of the significant issues
raised by the public comments in
response to the IRFA, and NMFS
responses to those comments, and a
summary of the analyses completed to
support the action.
Section 604 of the Regulatory
Flexibility Act requires that, when an
agency promulgates a final rule under
section 553 of Title 5 of the U.S. Code,
after being required by that section or
any other law to publish a general
notice of proposed rulemaking, the
agency shall prepare a FRFA. Section
604 describes the required contents of a
FRFA: (1) A statement of the need for,
and objectives of, the rule; (2) a
statement of the significant issues raised
by the public comments in response to
the initial regulatory flexibility analysis,
a statement of the assessment of the
agency of such issues, and a statement
of any changes made in the proposed
rule as a result of such comments; (3)
the response of the agency to any
comments filed by the Chief Counsel for
Advocacy of the Small Business
Administration (SBA) in response to the
proposed rule, and a detailed statement
of any change made to the proposed rule
in the final rule as a result of the
comments; (4) a description of and an
estimate of the number of small entities
to which the rule will apply or an
explanation of why no such estimate is
available; (5) a description of the
projected reporting, recordkeeping and
other compliance requirements of the
rule, including an estimate of the classes
of small entities which will be subject
to the requirement and the type of
professional skills necessary for
preparation of the report or record; and
(6) a description of the steps the agency
has taken to minimize the significant
economic impact on small entities
consistent with the stated objectives of
applicable statutes, including a
statement of the factual, policy, and
legal reasons for selecting the alternative
adopted in the final rule and why each
one of the other significant alternatives
to the rule considered by the agency
which affect the impact on small
entities was rejected.
Need for, and Objectives of, the Rule
A statement of the need for, and
objectives of, the rule is contained on
pages 4 through 10 of the preamble to
this final rule and is not repeated here.
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Number and Description of Small
Entities Regulated by the Action
The small entity estimates reported in
the IRFA for this action have been
reviewed for compliance with
subsequent inflation adjustments to
SBA thresholds for identifying small
entities (79 FR 33647, June 12, 2014).
The change in thresholds did not lead
to changes in the small entity estimates.
NMFS identified three groups of
entities that would be directly regulated
by this action: (1) Federally-permitted
vessels that harvest Atka mackerel,
Pacific cod, and pollock in the Aleutian
Islands; (2) CDQ groups that receive an
allocation of Atka mackerel, Pacific cod,
and pollock in the Aleutian Islands; and
(3) the Aleut Corporation, which
receives an allocation of pollock in the
Aleutian Islands. The following
paragraphs provide estimates of the
numbers of small entities in these three
categories that are directly regulated by
this action. NMFS estimates that 26
vessels, and the six CDQ groups, are
directly regulated small entities.
NMFS identified 51 vessels active in
directed fisheries for Atka mackerel or
Pacific cod in 2010 that would have
been directly regulated by this action.
Twelve vessels—one catcher/processor
and 11 catcher vessels—were believed
to be small entities. One of these vessels
was a pot catcher/processor, and the
remaining vessels were trawl catcher
vessels. The estimated average gross
revenue from the identified small
entities, in 2012 (the most recent year
with complete revenue information),
was about $1.4 million. Note that firm
revenues may have been larger, if these
firms had revenues from sources other
than the identified vessels. If this was
the case, average gross revenues for
small entities may be underestimated or
the number of small entities might be
overestimated, and the direction of the
impact on average revenue for the
remaining vessels would be unknown.
The remaining 39 vessels that directly
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targeted Atka mackerel, Pacific cod, or
pollock in the Aleutian Islands in 2010
were classified as large entities since
their gross revenues, or their gross
revenues and those of their affiliated
entities, exceeded the SBA threshold of
$20.5 million. The IRFA details the
process used to determine if a vessel
was affiliated with other businesses and
is not repeated here.
In addition to vessels in directed
fisheries, NMFS identified 20 vessels
with incidental catches of Atka
mackerel or Pacific cod in Area 543 that
are directly regulated by this action.
Alternative 1, the status quo, prohibits
retention of Atka mackerel or Pacific
cod in Area 543. This comprehensive
prohibition on retention is relaxed
under this action, the preferred
alternative. This prohibition directly
regulates vessels that would otherwise
have retained these species in Area 543.
Thus, the preferred alternative directly
regulates these vessels in this area. Only
small numbers of vessels took incidental
catches of these species in Area 543
during the baseline years. Over the
entire baseline period, from 2004
through 2010, only six separate fixed
gear catcher/processors or trawl catcher
vessels were identified with incidental
catches of Atka mackerel and/or Pacific
cod from 2004 through 2010. None of
these is believed to be a small entity
based on a knowledge of vessel
affiliations. Fourteen fixed gear catcher
vessels had incidental catches during
the same years. All of these are
considered to be small entities based on
a review of their gross revenues from all
sources, and their affiliations. None of
these vessels fished all years; the
median number of years fishing in Area
543 for a vessel in this group during the
baseline period was two years. The
aggregate fixed gear catcher vessel
revenues from Area 543 for these vessels
are estimated to average about $11,300
a year in real 2012 dollars, during the
baseline years (2004 through 2010).
Average revenues per vessel-year from
this source are estimated to be about
$2,200.
Through the CDQ program, the
Council and NMFS allocate a portion of
the BSAI groundfish TACs, and
apportion prohibited species catch
limits for Pacific halibut, Pacific
salmon, and several crab species, to 65
eligible Western Alaska communities.
These communities work through six
non-profit CDQ groups, and are required
to use the net proceeds from the CDQ
allocations to start or support activities
that will result in ongoing, regionally
based, commercial fishery or related
businesses. The six CDQ groups receive
allocations through the specifications
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process, and are directly regulated by
this action, but the 65 communities are
not directly regulated. Because they are
explicitly defined as small nonprofit
entities within the Regulatory
Flexibility Act, the six CDQ groups are
considered small entities for purposes of
this analysis.
The Aleut Corporation receives all of
the pollock directed fishing allocation
in Areas 541, 542, and 543. The Aleut
Corporation is an ANCSA corporation,
and is a holding company evaluated
according to the SBA criteria at 13 CFR
121.201, using a $7 million gross annual
receipts threshold for ‘‘Offices of Other
Holding Companies’’ (NAICS code
551112). As noted, in Table 8–39 of
Chapter 8 of the EIS, Aleut Corporation
revenues exceed this threshold (gross
revenues were about $159 million in
2010), and the Aleut Corporation is
considered to be a large entity for
purposes of this analysis.
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Recordkeeping and Reporting
Requirements
This action would implement new
recordkeeping and reporting
requirements by requiring an increase in
VMS polling rates for all trawl vessels
named on a Federal Fishing Permit
under § 679.4(b) and fishing for
groundfish that is deducted or required
to be deducted from a Federal
groundfish TAC in the Aleutian Islands
subarea. Some operations may have to
upgrade existing VMS equipment, and
all will have to increase transmission
rates. The owner of the trawl vessel
must ensure NMFS receives the
transmission from the VMS unit at least
10 times per hour. This measure does
not apply to fixed gear vessels, thus,
from the discussion above, it may affect
as many as 11 small trawl catcher vessel
entities. The costs of this requirement
are discussed in the Collection-ofInformation section of this final rule,
and are incorporated by reference here.
In summary, all trawl catcher vessels
will incur additional transmission costs
estimated to be about $400 a year, and
some may be required to upgrade their
VMS equipment at a cost estimated to
be about $3,500.
Description of Significant Alternatives
to the Final Action That Minimize
Adverse Impacts on Small Entities
A FRFA must describe the steps the
agency has taken to minimize the
significant economic impact on small
entities consistent with the stated
objectives of applicable statutes,
including a statement of the factual,
policy, and legal reasons for selecting
the alternative adopted in the final rule
and why each one of the other
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significant alternatives to the rule
considered by the agency that affect the
impact on small entities was rejected.
At its October 2013 meeting, the
Council adopted Alternative 5. This
alternative is described in detail in
Chapter 2 of the EIS. Section 8.13.1 of
the EIS and Section 1.13.1 of the
Regulatory Impact Review (RIR) provide
an analysis of Alternative 5, while
Section 8.20 of the EIS, and Section 1.14
of the RIR compare Alternative 5 to the
other alternatives for affected fleets.
This FRFA describes the impacts of
Alternative 5 relative to other
alternatives for Atka mackerel, Pacific
cod, and pollock fisheries.
The elements of Alternative 5 that
regulate the Atka mackerel fishery are
slightly more restrictive than those in
Alternatives 3 and 4, and are less
restrictive than those in Alternatives 1,
2, and 6.
For the Atka mackerel fishery,
Alternative 5 is most comparable to
Alternative 3. Alternatives 3 and 5 are
the same in Areas 541 and 542. They
differ in Area 543 in that Alternative 3
closes certain waters around Buldir
Island explicitly, while Alternative 5
does not. However, Alternative 5 sets an
Area 543 TAC limit equal to 65 percent
of ABC and that limit is not included in
Alternative 3. On balance, from
information during the baseline years,
Alternative 5 may be somewhat more
restrictive in Area 543 than Alternative
3. However, the Alternative 5 TAC limit
in Area 543 is included to prevent
excessive harvest of Atka mackerel prey
resources near Steller sea lion haulouts
and rookeries.
For the Atka mackerel fishery,
Alternative 4 is also less restrictive than
Alternative 5. However, the Council did
not recommend and NMFS did not
select Alternative 4 as its preferred
alternative. Alternative 4 measures were
found to result in jeopardy and adverse
modification of critical habitat for the
Steller sea lions in the 2010 FMP BiOp.
Alternative 5 provides more protection
for Steller sea lions in Area 543, where
population declines have been larger
than in Areas 541 and 542. Alternative
5 was selected over other less restrictive
alternatives to insure that Atka mackerel
fisheries in the BSAI are not likely to
jeopardize the continued existence of
endangered Steller sea lions or destroy
or adversely modify their designated
critical habitat.
The elements of Alternative 5 that
regulate the Aleutian Islands Pacific cod
fishery are slightly more restrictive than
those in Alternative 4, and are less
restrictive than those in Alternatives 1,
2, 3, and 6. For Pacific cod, Alternative
5 is most closely comparable to
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Alternative 4. However, Alternative 4
may be less restrictive to small entities,
since Alternative 5 adds a catch limit for
Pacific cod in Area 543 that limits area
catch in proportion to the annual stock
assessment. Alternative 5 was selected
over the less restrictive Alternative 4 to
insure that Pacific cod fisheries in the
BSAI are not likely to jeopardize the
continued existence of endangered
Steller sea lions or destroy or adversely
modify their designated critical habitat.
NMFS notes that Alternative 5 was
selected with the clear understanding
that the Aleutian Islands Pacific cod
will be managed as a separate stock
from the Bering Sea Pacific cod, which
limits the amount of catch from the
Aleutian Islands relative to the baseline
harvests analyzed.
The elements of Alternative 5 that
regulate the Aleutian Islands pollock
fishery are slightly more restrictive than
those in Alternatives 3 and 4
(Alternatives 3 and 4 are identical in
their management of the pollock
fishery). Alternative 5 differs from
Alternatives 3 and 4 only in that it
includes management area specific A
season catch limits, and increases
critical habitat closures in Area 542. The
A season catch limits are 5 percent of
the ABC in Area 543, 15 percent of the
ABC in Area 542, and 30 percent of the
ABC in Area 543. Alternative 5 is less
restrictive than Alternatives 1, 2, and 6.
The area constraints on pollock
fishing contained in Alternative 5 are
not present in Alternatives 3 and 4.
Thus, those alternatives may be
somewhat less restrictive than
Alternative 5. Management area limits
were introduced to provide control over
potential harvests in a new pollock
fishery of unknown potential and, thus,
to provide more protection for Steller
sea lions. These restrictions are more
stringent in the western areas, where
Steller sea lions are not doing as well as
in the east (this is consistent with the
performance standards in the 2010 FMP
BiOp). The extension of the 542 closure
areas, west of 178° W longitude, to 20
nm under Alternative 5, may also
contribute to making this alternative
more restrictive than Alternatives 3 and
4. The extension was also included in
Alternative 5 to provide more protection
to Steller sea lion prey species occurring
near rookeries and haul-outs that have
experienced relatively greater declines
in populations. Alternative 5 was
selected over other less restrictive
alternatives to insure that pollock
fisheries in the BSAI are not likely to
jeopardize the continued existence of
endangered Steller sea lions or destroy
or adversely modify their designated
critical habitat.
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Small Entity Compliance Guide
NMFS has posted a small entity
compliance guide on the NMFS Alaska
Region Web site (https://alaskafisheries.
noaa.gov/sustainablefisheries/sslpm/) to
satisfy the Small Business Regulatory
Enforcement Fairness Act of 1996,
which requires a plain language guide to
assist small entities in complying with
this rule. Contact NMFS to request a
hard copy of the guide (see ADDRESSES).
Collection-of-Information Requirements
This rule contains collection-ofinformation requirements subject to the
Paperwork Reduction Act (PRA) and
which have been approved by the Office
of Management and Budget (OMB). The
collections of information are listed
below by OMB control number.
tkelley on DSK3SPTVN1PROD with RULES2
OMB Control No. 0648–0206
The Federal Fisheries Permit (FFP) is
mentioned in the regulatory text of this
rule, but no changes are made to the
application form.
OMB Control No. 0648–0445
Public reporting burden is estimated
to average 4 hours per response for the
Vessel Monitoring System (VMS)
operation (includes installation,
transmission, and maintenance).
Estimates of burden include the time for
reviewing instructions, searching
existing data sources, gathering and
maintaining the data needed, and
completing and reviewing the collection
of information. Send comments on these
or any other aspects of the collection of
information to NMFS at the ADDRESSES
above, and email to OIRA Submission@
omb.eop.gov, or fax to 202–395–5806.
This rule increases the number of
transmissions or VMS polling rate, from
2 per hour to 10 per hour when a vessel
is using trawl gear to fish in the
Aleutian Islands; however, VMS
transmissions are not counted as
burden, because they are automatic.
Some vessels may incur additional
operating costs due to the increase in
the VMS polling rate, or they may have
to replace existing VMS units to meet
the polling rate and reliability
requirements. NMFS estimates that the
increase in the polling rate will increase
VMS costs by about $400 per year for
trawl catcher vessels and catcher/
processors operating in the Aleutian
Islands, except for trawl catcher/
processors targeting Atka mackerel.
Trawl catcher/processors targeting Atka
mackerel are expected to incur costs of
about $1,200 per year; however, these
are all large entities. Although all
vessels are required to have an FFP, and
all vessels fishing in the Aleutian
Islands are required to have and operate
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VMS, some of the impacted vessels may
have to replace existing VMS units to
meet the polling rate and reliability
requirements. While NMFS is unable to
estimate the number of entities that may
be required to replace VMS units to
provide the required unit reliability, the
estimated cost for an additional unit is
about $3,500 (including installation).
Estimates of burden include the time
for reviewing instructions, searching
existing data sources, gathering and
maintaining the data needed, and
completing and reviewing the collection
of information. Send comments on these
or any other aspects of the collection of
information to NMFS at the ADDRESSES
above, and email to OIRA Submission@
omb.eop.gov, or fax to 202–395–5806.
Notwithstanding any other provision
of the law, no person is required to
respond to, nor shall any person be
subject to a penalty for failure to comply
with, a collection of information subject
to the requirements of the PRA, unless
that collection of information displays a
currently valid OMB control number.
All currently approved NOAA
collections of information may be
viewed at: https://www.cio.noaa.gov/
services_programs/prasubs.html.
List of Subjects
15 CFR Part 902
Reporting and recordkeeping
requirements.
50 CFR Part 679
Alaska, Fisheries, Reporting and
recordkeeping requirements.
Dated: November 18, 2014.
Eileen Sobeck,
Assistant Administrator for Fisheries,
National Marine Fisheries Service.
For the reasons set out in the
preamble, NMFS amends 15 CFR part
902 and 50 CFR part 679 as follows:
Title 15—Commerce and Foreign Trade
PART 902—NOAA INFORMATION
COLLECTION REQUIREMENTS UNDER
THE PAPERWORK REDUCTION ACT:
OMB CONTROL NUMBERS
1. The authority citation for part 902
continues to read as follows:
■
Authority: 44 U.S.C. 3501 et seq.
2. In § 902.1, in the table in paragraph
(b), under the entry ‘‘50 CFR’’:
■ a. Add an entry in alphanumeric order
for ‘‘679.22(a)’’; and
■ b. Revise the entry for 679.28(f).
The addition and revision read as
follows:
■
PO 00000
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§ 902.1 OMB control numbers assigned
pursuant to the Paperwork Reduction Act.
*
*
*
(b) * * *
*
*
CFR part or section
where the information
collection requirement
is located
*
50 CFR:
*
*
*
*
*
*
679.22(a) ................... –0206
*
*
*
*
*
679.28(f) .................... –0206, –0445
*
*
*
Current OMB control
number (all numbers
begin with 0648–)
*
*
*
*
*
Title 50—Wildlife and Fisheries
PART 679—FISHERIES OF THE
EXCLUSIVE ECONOMIC ZONE OFF
ALASKA
3. The authority citation for part 679
continues to read as follows:
■
Authority: 16 U.S.C. 773 et seq.; 1801 et
seq.; 3631 et seq.; Pub. L. 108–447.
4. In § 679.7:
a. Remove paragraphs (a)(19), (a)(23),
and (a)(25);
■ b. Redesignate paragraph (a)(24) as
paragraph (a)(19); and
■ c. Revise the newly redesignated
paragraph (a)(19).
The revisions read as follows:
■
■
§ 679.7
Prohibitions.
(a) * * *
(19) Atka mackerel directed fishing in
the Bering Sea reporting areas. Conduct
directed fishing for Atka mackerel in the
Bering Sea subarea and adjacent State
waters with a vessel required to be
Federally permitted.
*
*
*
*
*
■ 5. In § 679.20:
■ a. Add paragraphs (a)(5)(iii)(B)(6), and
(a)(7)(v);
■ b. Revise paragraph (a)(8)(ii)(C); and
■ c. Add paragraphs (a)(8)(ii)(D) and
(e)(3)(v).
The additions and revisions read as
follows:
§ 679.20
General limitations.
(a) * * *
(5) * * *
(iii) * * *
(B) * * *
(6) Pollock harvest limitations.
Pollock harvests during the A season as
defined at § 679.23(e)(2) are limited to:
(i) No more than 5 percent of the
Aleutian Islands pollock ABC in Area
543.
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Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
(ii) No more than 15 percent of the
Aleutian Islands pollock ABC in Area
542.
(iii) No more than 30 percent of the
Aleutian Islands pollock ABC in Area
541.
*
*
*
*
*
(7) * * *
(v) ITAC allocation to the Amendment
80 sector. A percentage of the Pacific
cod TAC, after subtraction of the CDQ
reserve, will be allocated as ITAC to the
Amendment 80 sector as described in
Table 33 to this part. Separate
allocations for each Amendment 80
cooperative and the Amendment 80
limited access fishery are described
under § 679.91. The allocation of Pacific
cod to the Amendment 80 sector will be
further divided into seasonal
apportionments as described under
paragraph (a)(7)(iv)(A)(1)(ii) of this
section.
(A) Use of seasonal apportionments
by Amendment 80 cooperatives. (1) The
amount of Pacific cod listed on a CQ
permit that is assigned for use in the A
season may be used in the B or C
season.
(2) The amount of Pacific cod that is
listed on a CQ permit that is assigned
for use in the B season may not be used
in the A season.
(3) The amount of Pacific cod listed
on a CQ permit that is assigned for use
in the C season may not be used in the
A or B seasons.
(B) Harvest of seasonal
apportionments in the Amendment 80
limited access fishery. (1) Pacific cod
ITAC assigned for harvest by the
Amendment 80 limited access fishery in
the A season may be harvested in the B
or C seasons.
(2) Pacific cod ITAC assigned for
harvest by the Amendment 80 limited
access fishery in the B season may not
be harvested in the A season.
(3) Pacific cod ITAC assigned for
harvest by the Amendment 80 limited
access fishery in the C season may not
be harvested in the A or B seasons.
(vi) ITAC rollover to Amendment 80
cooperatives. If during a fishing year,
the Regional Administrator determines
that a portion of the Pacific cod TAC is
unlikely to be harvested and is made
available for reallocation to the
Amendment 80 sector according to the
provisions under paragraph (a)(7)(iii) of
this section, the Regional Administrator
may issue inseason notification in the
Federal Register that reallocates that
remaining amount of Pacific cod to
Amendment 80 cooperatives, according
to the procedures established under
§ 679.91(f).
(vii) Pacific cod harvest limitations.
During the annual harvest specifications
VerDate Sep<11>2014
21:39 Nov 24, 2014
Jkt 235001
process, the Regional Administrator will
establish an Area 543 Pacific cod
harvest limit based on Pacific cod
abundance in Area 543 as determined
by the annual stock assessment process.
NMFS will first subtract the State GHL
Pacific cod amount from the AI Pacific
cod ABC. Then NMFS will determine
the harvest limit in Area 543 by
multiplying the percentage of Pacific
cod estimated in Area 543 by the
remaining ABC for AI Pacific cod.
(8) * * *
(ii) * * *
(C) Atka mackerel harvest limitations.
(1) Atka mackerel catch within waters 0
nm to 20 nm of Steller sea lion sites
listed in Table 6 to this part and located
west of 178° W longitude is:
(i) Limited to no more than 60 percent
of the annual TACs in Areas 542 and
543; and
(ii) Equally divided between the A
and B seasons as defined at
§ 679.23(e)(3).
(2) The annual TAC in Area 543 will
be no more than 65 percent of the ABC
in Area 543.
(D) Any unharvested Atka mackerel A
season allowance that is added to the B
season is prohibited from being
harvested within waters 0 nm to 20 nm
of Steller sea lion sites listed in Table
6 to this part and located in Areas 541,
542, and 543.
*
*
*
*
*
(e) * * *
(3) * * *
(v) For all vessels not listed in subpart
F of this section, the maximum
retainable amount for Atka mackerel
harvested in the Bering Sea subarea is
calculated at the end of each offload and
is based on the basis species harvested
since the previous offload. For purposes
of this paragraph, offload means the
removal of any fish or fish product from
the vessel that harvested the fish or fish
product to any other vessel or to shore.
*
*
*
*
*
■ 6. In § 679.22, revise paragraphs (a)(7)
heading, (a)(7)(vi), (a)(8) heading, and
(a)(8)(iv) to read as follows:
§ 679.22
Closures.
(a) * * *
(7) Steller sea lion protection areas,
Bering Sea reporting areas.
*
*
*
*
*
(vi) Atka mackerel closures. Directed
fishing for Atka mackerel by vessels
named on a Federal Fisheries Permit
under § 679.4(b) and using trawl gear is
prohibited within the Bering Sea
reporting areas.
*
*
*
*
*
PO 00000
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70311
(8) Steller sea lion protection areas,
Aleutian Islands reporting areas.
*
*
*
*
*
(iv) Pacific cod closures. Directed
fishing for Pacific cod required to be
deducted from the Federal TAC
specified at § 679.20 by vessels named
on a Federal Fisheries Permit under
§ 679.4(b) using trawl, hook-and-line, or
pot gear is prohibited within Pacific cod
no-fishing zones around selected sites.
These sites and gear types are described
in Table 5 of this part and its footnotes
and are identified by ‘‘AI’’ in column 2.
*
*
*
*
*
■ 7. In § 679.23, revise paragraphs
(e)(3)(ii) and (e)(5)(ii)(C) to read as
follows:
§ 679.23
Seasons.
*
*
*
*
*
(e) * * *
(3) * * *
(ii) B season. From 1200 hours, A.l.t.,
June 10 through 1200 hours, A.l.t.,
December 31.
*
*
*
*
*
(5) * * *
(ii) * * *
(C) C season— (1) Catcher vessels and
AFA catcher/processors. From 1200
hours, A.l.t., June 10 through 1200
hours, A.l.t., November 1.
(2) Amendment 80 and CDQ. From
1200 hours, A.l.t., June 10 through 1200
hours, A.l.t., December 31.
*
*
*
*
*
■ 8. In § 679.28, revise paragraph
(f)(3)(i) and add paragraph (f)(7) to read
as follows:
§ 679.28 Equipment and operational
requirements.
*
*
*
*
*
(f) * * *
(3) * * *
(i) Obtain a NMFS-approved VMS
transmitter with transmission
capabilities required for the areas of
vessel operation and have it installed
onboard your vessel in accordance with
the instructions provided by NMFS.
You may get a copy of the VMS
installation and operation instructions
from the Regional Administrator upon
request.
*
*
*
*
*
(7) What additional requirements
does an operator have if trawling in the
Aleutian Islands reporting areas?
Operators of vessels named on a Federal
Fisheries Permit under § 679.4(b), and
that are using trawl gear in the Aleutian
Islands reporting areas to harvest
groundfish that is required to be
deducted from a Federal TAC specified
at § 679.20, must set their VMS to
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Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
tkelley on DSK3SPTVN1PROD with RULES2
transmit the vessel location at least 10
times per hour.
*
*
*
*
*
VerDate Sep<11>2014
21:39 Nov 24, 2014
Jkt 235001
9. Revise Table 4 to Part 679 to read
as follows:
■
BILLING CODE 3510–22–P
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VerDate Sep<11>2014
Table 4 to Part 679-Steller Sea Lion Protection Areas Pollock Fisheries Restrictions
2
3
4
Jkt 235001
6
7
Longitude
Pollock Nofishing Zones for
Trawl Gear
2,s(nm)
Boundaries to 1
Boundaries from
Site Name
5
Area 16
Latitude
Longitude
Latitude
E:\FR\FM\25NOR2.SGM
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20
St. Lawrence I./SW Cape
Bering Sea
63° 18.00 N
171° 26.00W
20
Hall I.
Bering Sea
60° 37.00 N
173°
oo.oow
20
St. Paul I./Sea Lion Rock
Bering Sea
57o 06.00 N
170° 17.50 w
3
St. Paul 1./NE Pt.
Bering Sea
57° 15.00 N
170° 06.50 w
3
Walrus I. (Pribilofs)
Bering Sea
57° 11.00 N
169° 56.00W
10
St. George 1./Dalnoi Pt.
Bering Sea
56° 36.00 N
169° 46.00W
3
St. George LIS Rookery
Bering Sea
56° 33.50 N
169° 40.00W
3
Cape Newenham
Bering Sea
58° 39.00 N
162° 10.50 w
20
Round (Walrus Islands)
Bering Sea
58° 36.00 N
159° 58.00 w
20
Attu I./Cape Wrangell
Aleutian I.
52° 54.60 N
172° 27.90 E
Agattu I./Gillon Pt.
Aleutian I.
52° 24.13 N
173° 21.31 E
20
Attu I./Chirikof Pt. 13
Aleutian I.
52° 49.75 N
173° 26.00 E
20
Aleutian I.
52° 22.50N
173° 43.30 E
52° 21.80 N
173° 41.40 E
20
Aleutian I.
52° 46.50 N
173° 51.50 E
52° 45.00 N
173° 56.50 E
20
Aleutian I.
52° 44.00N
174° 08.70 E
Buldir I.
Sfmt 4725
168° 51.00 w
Shemya 1. 13
Fmt 4701
63° 04.00 N
Alaid 1. 13
Frm 00029
Bering Sea
Agattu I./Cape Sabak
PO 00000
St. Lawrence LIS Punuk I.
Aleutian I.
52° 20.25 N
175° 54.03 E
52° 55.40 N
172° 27.20 E
20
20
52° 20.38 N
175° 53.85 E
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
Column Number I
20
70313
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VerDate Sep<11>2014
Site Name
4
Area 16
3
5
6
7
Latitude
Longitude
Latitude
Longitude
Pollock Nofishing Zones for
Trawl Gear
2,&(nm)
Boundaries to 1
Boundaries from
Fmt 4701
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25NOR2
51° 53.50 N
177° 12.00 E
20
Kiska 1./Sobaka & Vega
Aleutian I.
51° 49.50 N
177° 19.00 E
51° 48.50 N
177° 20.50 E
20
Kiska I./Lief Cove
Aleutian I.
51°57.16N
177° 20.41 E
51° 57.24 N
177° 20.53 E
20
Kiska I./Sirius Pt.
Aleutian I.
52° 08.50N
177° 36.50 E
20
Tanadak I. (Kiska) 14
Aleutian I.
51° 56.80 N
177° 46.80 E
20
Segula 1. 14
Aleutian I.
51° 59.90 N
178° 05.80 E
Ayugadak Point 14
Aleutian I.
51° 45.36 N
178° 24.30 E
20
Hawadax I.!Krysi Pt. 14
Aleutian I.
51° 49.98 N
178° 12.35 E
20
Little Sitkin 1. 14
Aleutian I.
51° 59.30 N
178° 29.80 E
20
Amchitka I./Column Rocks
Aleutian I.
51° 32.32 N
178° 49.28 E
20
Amchitka I./East Cape
Aleutian I.
51 o 22.26 N
179° 27.93 E
Amchitka I./Cape Ivakin
Aleutian I.
51° 24.46 N
179° 24.21 E
Semisopochnoi/Petrel Pt.
Aleutian I.
52° 01.40 N
179° 36.90 E
Semisopochnoi 1./Pochnoi Pt.
Aleutian I.
51° 57.30 N
179° 46.00 E
20
Aleutian I.
51 o 13.00 N
179° 07.80 w
20
Aleutian I.
51° 33.67 N
179° 04.25
w
51° 35.09 N
179° 03.66 w
20
Aleutian I.
51°18.90N
178° 58.90 w
51° 18.70 N
178° 59.60 w
20
Kavalga I.
Frm 00030
177° 12.70 E
Ulak 1./Hasgox Pt.
PO 00000
51° 52.50N
Unalga & Dinkum Rocks
Jkt 235001
Aleutian I.
Amatignak I. Nitrof Pt.
ER25NO14.001
Kiska I./Cape St. Stephen
Aleutian I.
51° 34.50 N
178° 51.73
w
51° 34.50 N
178° 49.50 w
20
52° 03.06 N
51° 22.00 N
178° 08.80 E
179° 27.00 E
20
20
20
52° 01.50 N
179° 39.00 E
20
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
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21:39 Nov 24, 2014
Column Number 1
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2
4
3
5
21:39 Nov 24, 2014
Boundaries from
Site Name
Area
6
7
Longitude
Pollock Nofishing Zones for
Trawl Gear
2,&(nm)
Boundaries to 1
16
Latitude
Longitude
Latitude
Sfmt 4725
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20
Ugidak I.
Aleutian I.
51° 34.95 N
178° 30.45 w
20
GrampRock
Aleutian I.
51° 28.87 N
178° 20.58 w
20
Tanaga I./Bumpy Pt.
Aleutian I.
51° 55.00 N
177° 58.50 w
Bobrofl.
Aleutian I.
51° 54.00 N
177° 27.00W
3
Kanaga I./Ship Rock 15
Aleutian I.
51 o 46.70 N
177° 20.72 w
10, 3
Kanaga I./North Cape
Aleutian I.
51° 56.50N
177° 09.00W
3
Adak I.
Aleutian I.
51° 35.50N
176° 57.10 w
Little Tanaga Strait
Aleutian I.
51 o 49.09 N
176° 13.90 w
Great Sitkin I.
Aleutian I.
52° 06.00N
176° 10.50 w
Anagaksik I.
Aleutian I.
51° 50.86 N
175° 53.00 w
3
Kasatochi I.
Aleutian I.
52° 11.11 N
175° 31.00 w
10
Atka I./North Cape
Aleutian I.
52° 24.20 N
174° 17.80W
3
Amlia I./Sviech. Harbor 11
Aleutian I.
52° 01.80N
173° 23.90 w
3
Aleutian I.
52° 00.50 N
173° 09.30 w
3
Aleutian I.
52° 05.70N
172° 59.00W
Aleutian I.
52° 04.20N
172° 57.60 w
Agligadak 1. 11
Fmt 4701
178° 34.50 w
Tanadak I. (Amlia 11 )
Frm 00031
51° 33.50 N
Amlia I./East 11
PO 00000
Aleutian I.
Sagigik I. 11
Jkt 235001
Tag I.
Aleutian I.
52° 06.09N
172° 54.23
--
51° 55.00 N
51 o 37.40 N
177° 57.10 w
176° 59.60 w
3
10
3
52° 06.60 N
52° 05.75 N
176° 07.00 w
172° 57.50 w
3
3
3
w
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
Column Number 1
10
---
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Site Name
4
Area 16
3
5
6
7
Latitude
Longitude
Latitude
Longitude
Pollock Nofishing Zones for
Trawl Gear
2,&(nm)
Boundaries to 1
Boundaries from
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52° 21.02 N
172° 33.60 w
10
Seguam I./Finch Pt.
Aleutian I.
52° 23.40N
172° 27.70W
52° 23.25 N
172° 24.30 w
3
Seguam I./South Side
Aleutian I.
52° 21.60 N
172° 19.30W
52° 15.55 N
172° 31.22 w
3
Amukta I. & Rocks
Aleutian I.
52° 27.25 N
171° 17.90W
3
Chagu1akl.
Aleutian I.
52° 34.00 N
171° 10.50W
3
Yunaskal.
Aleutian I.
52° 41.40 N
170° 36.35 w
10
Uliaga3
Bering Sea
53o 04.00 N
169° 47.00W
Gulf of Alaska
52° 46.70N
169° 41.90 w
20
Kagamil3
Bering Sea
53° 02.10 N
169° 41.00 w
BA
Samalga
Gulf of Alaska
52° 46.00 N
169° 15.00 w
20
Adugakl. 3
Bering Sea
52° 54.70 N
169° 10.50 w
10
Umnak I./Cape Aslik3
Bering Sea
53o 25.00 N
168° 24.50 w
BA
Gulf of Alaska
52° 59.71 N
168° 24.24 w
20
Bering Sea
53o 55.69 N
168° 02.05
w
BA
Gulf of Alaska
53° 15.96 N
167° 57.99 w
20
Gulf of Alaska
53° 17.50 N
167° 51.50 w
20
Gulf of Alaska
53o 13.64 N
167° 39.37 w
20
Unalaska/Bishop Pt. 9
Frm 00032
172° 34.40W
Unalaska/Cape Izigan
PO 00000
52° 21.05 N
Emerald I.
Jkt 235001
Aleutian I.
Polivnoi Rock
ER25NO14.003
Seguam I./Saddleridge Pt. 11
Bering Sea
53o 58.40 N
166° 57.50 w
10
Chuginadak
Ogchul I.
Bogoslof I./Fire I. 3
53° 05.00 N
169° 46.00 w
BA
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
2
21:39 Nov 24, 2014
Column Number 1
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VerDate Sep<11>2014
Site Name
4
Area 16
3
5
6
7
Longitude
Latitude
Longitude
Bering Sea
54o 08.10 N
166° 06.19 w
54o 09.10 N
166° 05.50 w
10
Unalaska I./Cape Sedanka6
Gulf of Alaska
53° 50.50 N
166° 05.00W
20
PO 00000
Old Man Rocks6
Gulf of Alaska
53° 52.20 N
166° 04.90W
20
Akutan I./Cape Morgan6
Gulf of Alaska
54° 03.39 N
165° 59.65 w
54° 03.70 N
166° 03.68 w
20
Frm 00033
Akun I./Billings Head9
Bering Sea
54° 17.62 N
165° 32.06 w
54o 17.57N
165° 31.71
w
10
Rootok6
Gulf of Alaska
54o 03.90 N
165° 31.90 w
54o 02.90N
165° 29.50 w
20
Tanginak I. 6
Gulf of Alaska
54o 12.00 N
165° 19.40 w
Tigalda!Rocks NE 6
Gulf of Alaska
54° 09.60 N
164° 59.00W
Bering Sea
54° 34.30 N
164° 56.80 w
10
Aiktak6
Gulf of Alaska
54° 10.99 N
164° 51.15 w
20
Ugamak I. 6
Gulf of Alaska
54° 13.50 N
164° 47.50W
Round (GOA) 6
Gulf of Alaska
54o 12.05 N
164° 46.60W
20
Sea Lion Rock (Amak) 9
Bering Sea
55° 27.82 N
163° 12.10 w
10
Amak I. And rocks9
Bering Sea
55o 24.20N
163° 09.60 w
Bird I.
Gulf of Alaska
54° 40.00N
163° 17.2
w
10
Caton I.
Gulf of Alaska
54° 22.70N
162° 21.30 w
3
South Rocks
Gulf of Alaska
54o 18.14 N
162° 41.3
w
10
Clubbing Rocks (S)
Gulf of Alaska
54° 41.98 N
162° 26.7
w
10
Jkt 235001
Latitude
Pollock Nofishing Zones for
Trawl Gear
2,&(nm)
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
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21:39 Nov 24, 2014
Column Number 1
Boundaries to 1
Boundaries from
Akutan I./Reef-lava9
Fmt 4701
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Unimak/Cape Sarichefl
20
54° 09.12 N
E:\FR\FM\25NOR2.SGM
54o 12.80 N
25NOR2
55° 26.15 N
164° 57.18 w
164° 47.50W
163° 08.50 w
20
20
10
70317
ER25NO14.004
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VerDate Sep<11>2014
Site Name
4
Area 16
3
5
7
Longitude
Pollock Nofishing Zones for
Trawl Gear
2,&(nm)
Boundaries to 1
Boundaries from
Latitude
6
Longitude
Latitude
Fmt 4701
Sfmt 4725
E:\FR\FM\25NOR2.SGM
25NOR2
w
10
Pinnacle Rock
Gulf of Alaska
54° 46.06N
161° 45.85 w
3
Sushilnoi Rocks
Gulf of Alaska
54° 49.30 N
161° 42.73
w
10
Olga Rocks
Gulf of Alaska
55° 00.45 N
161° 29.81
w
Jude I.
Gulf of Alaska
55o 15.75 N
161° 06.27 w
20
Sea Lion Rocks (Shumagins)
Gulf of Alaska
55o 04.70 N
160° 31.04 w
3
Nagai I./Mountain Pt.
Gulf of Alaska
54o 54.20N
160° 15.40 w
The Whaleback
Gulf of Alaska
55° 16.82 N
160° 05.04 w
Chemabura I.
Gulf of Alaska
54° 45.18 N
159° 32.99 w
Castle Rock
Gulf of Alaska
55° 16.47 N
159° 29.77 w
3
Atkins I.
Gulf of Alaska
55° 03.20 N
159°17.40W
20
Spitz I.
Gulf of Alaska
55o 46.60 N
158° 53.90 w
3
Mitrofania
Gulf of Alaska
55° 50.20 N
158° 41.90 w
3
K.ak
Gulf of Alaska
56° 17.30 N
157° 50.10 w
20
Gulf of Alaska
55° 46.79 N
157° 24.89 w
20
Gulf of Alaska
56° 31.05 N
157° 20.47 w
56° 32.00 N
157° 21.00 w
20
Gulf of Alaska
56° 00.54 N
156° 41.42 w
55o 00.30 N
156° 41.60 w
20
Nagai Rocks
Frm 00034
162° 26.7
Chowiet I.
PO 00000
54o 42.75 N
Sutwik I.
Jkt 235001
Gulf of Alaska
Lighthouse Rocks
ER25NO14.005
Clubbing Rocks (N)
Gulf of Alaska
55° 49.80 N
155° 47.50 w
54° 59.09 N
54° 56.00 N
161° 30.89 w
160° 15.00 w
10
3
3
54° 45.87 N
159° 35.74 w
20
20
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
2
21:39 Nov 24, 2014
Column Number 1
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VerDate Sep<11>2014
Site Name
4
Area 16
3
5
6
7
Boundaries to 1
Latitude
Longitude
Latitude
Longitude
Pollock Nofishing Zones for
Trawl Gear
55o 46.44 N
155° 43.46 w
20
Boundaries from
2,&(nm)
Sfmt 4725
E:\FR\FM\25NOR2.SGM
25NOR2
PualeBay
Gulf of Alaska
57° 40.60 N
155° 23.10 w
10
Kodiak/Cape Ikolik
Gulf of Alaska
57° 17.20N
154°47.50W
3
Takli I.
Gulf of Alaska
58° 01.75 N
154° 31.25 w
10
Cape Kuliak
Gulf of Alaska
58° 08.00 N
154° 12.50 w
10
Cape Gull
Gulf of Alaska
58° 11.50 N
154° 09.60W
Kodiak/Cape Ugat
Gulf of Alaska
57o 52.41 N
153° 50.97 w
10
Sitkinak/Cape Sitkinak
Gulf of Alaska
56° 34.30 N
153° 50.96 w
10
ShakunRock
Gulf of Alaska
58° 32.80 N
153° 41.50 w
10
Twoheaded I.
Gulf of Alaska
56° 54.50 N
153° 32.75 w
Cape Douglas (Shaw 1.) 12
Gulf of Alaska
59° 00.00 N
153° 22.50 w
10
Kodiak/Cape Barnabas
Gulf of Alaska
57o 10.20 N
152° 53.05 w
3
Kodiak/Gull Point4
Gulf of Alaska
57° 21.45 N
152° 36.30 w
10,3
Latax Rocks
Gulf of Alaska
58° 40.10 N
152° 31.30 w
10
Gulf of Alaska
58° 54.75 N
152° 22.20 w
10
Gulf of Alaska
57° 23.60 N
152° 17.50 w
Gulf of Alaska
58° 31.15 N
152° 13.30 w
10
Long I.
Fmt 4701
155° 39.50 w
Sea Otter I.
Frm 00035
55o 46.50 N
Ugakl. 4
PO 00000
Gulf of Alaska
Ushagat 1./SW
Jkt 235001
Chirikofl.
Gulf of Alaska
57° 46.82 N
152° 12.90 w
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
2
21:39 Nov 24, 2014
Column Number 1
10
58° 12.50 N
56° 53.90 N
57° 21.90 N
154° 10.50 w
153° 33.74 w
152° 17.40 w
10
10
10,3
70319
ER25NO14.006
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70320
VerDate Sep<11>2014
Site Name
4
Area 16
3
5
6
7
Longitude
Pollock Nofishing Zones for
Trawl Gear
2,&(nm)
Boundaries to 1
Boundaries from
Latitude
Longitude
Latitude
Gulf of Alaska
58° 54.00 N
152° 12.50 w
10
Kodiak/Cape Chiniak
Gulf of Alaska
57° 37.90 N
152° 08.25 w
10
PO 00000
Sugarloaf I.
Gulf of Alaska
58° 53.25 N
152° 02.40 w
20
Sea Lion Rocks (Marmot)
Gulf of Alaska
58° 20.53 N
151° 48.83
w
10
Frm 00036
Marmot 1. 5
Gulf of Alaska
58° 13.65 N
151° 47.75
w
Nagahut Rocks
Gulf of Alaska
59o 06.00 N
151° 46.30 w
10
Perl
Gulf of Alaska
59o 05.75 N
151° 39.75 w
10
Gore Point
Gulf of Alaska
59° 12.00 N
150° 58.00 w
10
Outer (Pye) I.
Gulf of Alaska
59° 20.50 N
150° 23.00 w
Steep Point
Gulf of Alaska
59° 29.05 N
150° 15.40 w
10
Seal Rocks (Kenai)
Gulf of Alaska
59° 31.20 N
149° 37.50 w
10
Chiswell Islands
Gulf of Alaska
59o 36.00 N
149° 34.00W
10
Rugged Island
Gulf of Alaska
59o 50.00 N
149° 23.10 w
Point Elrington7• 10
Gulf of Alaska
59o 56.00 N
148° 15.20 w
PerryC
Gulf of Alaska
60° 44.00N
147° 54.60W
The Needle 7
Gulf of Alaska
60° 06.64 N
147°36.17W
Point Eleanor7
Gulf of Alaska
60° 35.00 N
147° 34.00W
Wooded I. (Fish I.)
Gulf of Alaska
59° 52.90 N
147° 20.65 w
Jkt 235001
Sud I.
Fmt 4701
Sfmt 4725
E:\FR\FM\25NOR2.SGM
25NOR2
ER25NO14.007
58° 09.90 N
59° 21.00 N
59o 51.00 N
151° 52.06 w
150° 24.50 w
149° 24.70W
15,20
20
10
20
20
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
2
21:39 Nov 24, 2014
Column Number 1
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Column Number I
2
3
4
Site Name
6
7
Longitude
Pollock Nofishing Zones for
Trawl Gear
2.s(nm)
Boundaries to 1
Area 16
Latitude
Longitude
Latitude
Jkt 235001
PO 00000
Frm 00037
Glacier Island7
Gulf of Alaska
60° 51.30 N
147° 14.50 w
Seal Rocks (Cordova) 10
Gulf of Alaska
60° 09.78 N
146° 50.30 w
20
Cape Hinchinbrook 10
Gulf of Alaska
60° 14.00 N
146° 38.50 w
20
Middleton I.
Gulf of Alaska
59o 28.30 N
146° 18.80 w
10
Hook Point 10
Gulf of Alaska
60° 20.00N
146° 15.60 w
20
Cape St. Elias
Gulf of Alaska
59° 47.50 N
144° 36.20 w
20
Fmt 4701
1 Where
Sfmt 4725
E:\FR\FM\25NOR2.SGM
25NOR2
two sets of coordinates are given, the baseline extends in a clockwise direction from the first set of geographic coordinates along the
shoreline at mean lower-low water to the second set of coordinates. Where only one set of coordinates is listed, that location is the base point.
2 Closures as stated in 50 CFR 679.22(a)(7)(iv), (a)(8)(ii) and (b)(2)(ii).
3 This site lies within the Bogoslof area (BA). The BA consists of all waters of Area 518 as described in Figure 1 of this part south of a straight
line connecting 55° 00' N/170° 00' W, and 55° 00' N/168° 11 '4. 75" W.
4 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for pollock with trawl gear between 0 nm and 10 nm from January
20 through May 31. Vessels with a Federal Fisheries Permit are prohibited from directed fishing for pollock with trawl gear between 0 nm and 3
nm from August 25 through November 1.
5 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for pollock with trawl gear between 0 nm and 15 nm from January
20 through May 31. Vessels with a Federal Fisheries Permit are prohibited from directed fishing for pollock with trawl gear between 0 nm and 20
nm from August 25 to November 1.
6 Restriction area includes only waters of the Gulf of Alaska Area.
7 Contact the Alaska Department ofFish and Game for fishery restrictions at these sites.
8 No-fishing zones for vessels with a Federal Fisheries Permit are the waters between 0 nm and the nm specified in column 7 of this table around
each site and within the BA.
9 This site is located in the Bering Sea Pollock Restriction Area, where directed fishing for pollock is prohibited during the A season. This area
consists of all waters of the Bering Sea south of a line connecting the points
55° 46'30" N lat. /163° 00'00" W long.,
54° 42'9" N lat./165° 08'00" W long.,
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
Boundaries from
5
70321
ER25NO14.008
tkelley on DSK3SPTVN1PROD with RULES2
70322
Jkt 235001
PO 00000
Frm 00038
Fmt 4701
Sfmt 4700
E:\FR\FM\25NOR2.SGM
25NOR2
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
10. Revise Table 5 to Part 679 to read
as follows:
■
VerDate Sep<11>2014
ER25NO14.009
54° 26'30" N lat./165° 40'00" long.,
54° 18'40" N lat./166° 12'00" W long., and
54° 8'50" N lat./167° 0'00" W long.
10 The 20 run closure around this site is effective in Federal waters outside of State of Alaska waters of Prince William Sound.
11 Some or all of the restricted area is located in the Seguam Foraging area (SFA), which is closed to all gear types. The SFA is established as all
waters within the area between 52° N lat. and 53° N lat. and between 173° 30' W long. and 172° 30' W long.
12 The 3 nm trawl closure around Puale Bay and the 20 run trawl closure around Cape Douglas/Shaw I. are effective January 20 through May 31.
The 10 run trawl closure around Puale Bay and the 10 run trawl closure around Cape Douglas/Shaw I. are effective August 25 through November
1.
13 Critical habitat at this site contains the Shemya Open Area, which is open to directed fishing for pollock outside of 3 run from haul outs. This
open area consists of all waters located within an area bounded by straight lines drawn by connecting the following points:
52° 45.0' N lat./174° 42.0' E long.
52° 36.0' N lat./174° 42.0' E long.
52° 52.0' N lat./173° 30.0' E long.
53° 0.0' N lat./173° 30.0' E long.
52° 45.0' N lat. /174° 42.0' E long.
14 Critical habitat at this site contains the Rat Islands Open Area, which is open to directed fishing for pollock outside of 3run from Tanadak 1.,
Segula 1., and Hawadax I./Krysi Pt. and outside of 10 run from Little Sitkin I. and Ayugadak Pt. This open area consists of all waters located
within an area bounded by straight lines drawn by connecting the following points:
51° 56.0' N lat. I 178° 17 .0' E long.
51 o 52.0' N lat. I 178° 12.0' E long.
51 o 56.0' N lat. I 177° 51.5' E long.
52° 3 .0' N lat. I 177° 51.0' E long.
51° 56.0' N lat. I 178° 17.0' E long.
15 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for pollock within 10 run ofKanaga I./Ship Rock, except waters
north of 51 o 47.5' N, 177° 37.0' W to 51 o 47.5' N, 177° 12.0' W where those vessels are prohibited from directed fishing for pollock in waters 0 run
to 3 run from this site.
16 Unless otherwise noted, closures apply to reporting areas of the Bering Sea, Aleutian Islands, and Gulf of Alaska, including adjacent state
waters.
tkelley on DSK3SPTVN1PROD with RULES2
VerDate Sep<11>2014
21:39 Nov 24, 2014
Column Number 1
2
4
3
Boundaries from
Jkt 235001
Site Name
5
6
Boundaries to 1
Area16
PO 00000
Latitude
Longitude
Latitude
Longitude
7
8
9
Pacific Cod
No-fishing
Zones for
Trawl Gea?· 3
Pacific Cod
No-fishing Zone
for Hook-andLine Gea?· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gea?·3 (nm)
(nm)
Frm 00039
25NOR2
168° 51.00 w
20
20
20
St. Lawrence I./SW Cape
BS
63° 18.00 N
171° 26.00W
20
20
20
Hall I.
BS
60° 37.00N
173° 00.00 w
20
20
20
St. Paul I./Sea Lion Rock
BS
57o 06.00 N
170° 17.50W
3
3
3
St. Paul 1./NE Pt.
BS
57° 15.00 N
170° 06.50 w
3
3
3
Walms I. (Pribilofs)
BS
57° 11.00 N
169° 56.00 w
10
3
3
St. George I./Dalnoi Pt.
BS
56° 36.00 N
169° 46.00W
3
3
3
St. George LIS. Rookery
BS
56° 33.50 N
169° 40.00W
3
3
3
Cape Newenham
BS
58° 39.00 N
162° 10.50 w
20
20
20
Round (Walrus Islands)
BS
58° 36.00N
159° 58.00 w
20
20
20
AI
52° 54.60 N
172° 27.90 E
10
3
3
AI
52° 24.13 N
173° 21.31 E
10
3
3
Attu I./ChirikofPt. 11
E:\FR\FM\25NOR2.SGM
63° 04.00N
Agattu I./Gillon Pt. 11
Sfmt 4725
BS
Attu I./Cape Wrangell 11
Fmt 4701
St. Lawrence I./S Punuk I.
AI
52° 49.75 N
173° 26.00 E
3
52° 55.40 N
172° 27.20 E
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
Table 5 to Part 679-Steller Sea Lion Protection Areas Pacific Cod Fisheries Restrictions
70323
ER25NO14.010
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70324
VerDate Sep<11>2014
Column Number I
2
4
3
Jkt 235001
Site Name
6
Boundaries to 1
Area16
7
8
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
3
3
Latitude
Longitude
Latitude
Longitude
(nm)
PO 00000
E:\FR\FM\25NOR2.SGM
25NOR2
52° 2L80N
173° 4L40 E
10
AlaidL 11
AI
52° 46.50 N
173°5L50E
52° 45.00N
173° 56.50 E
3
ShemyaL 11
AI
52° 44.00N
174°08.70E
Buldir IY
AI
52° 20.25 N
175° 54.03 E
52 2038 N
175° 53.85 E
10
10
10
Kiska L/Cape St. Stephen
AI
51° 52.50N
177° 12.70 E
51° 53.50N
177° 12.00 E
10
3
3
Kiska L Sobaka & Vega
AI
51 o 49.50 N
177° 19.00E
51 o 48.50 N
177° 20.50 E
3
Kiska L/Lief Cove
AI
5l 0 57.16N
177° 20.41 E
5l 0 57.24N
177° 20.53 E
10
3
3
Kiska L/Sirius Pt.
AI
52° 08,50 N
177° 36.50 E
3
Tanadak L (Kiska)
AI
51 o 56.80 N
177° 46.80 E
3
Segu1aL
AI
51°59.90N
178° 05.80 E
Ayugadak Point
AI
51 o 45.36 N
178° 24,30 E
10
3
3
AI
51°49.98N
178° 1235 E
3
AI
51° 59.30N
178° 29.80 E
3
AI
51 o 32.32 N
178° 49.28 E
10
3
3
Amchitka L/East Cape
Sfmt 4725
173° 4330 E
Amchitka L/Column
Fmt 4701
52° 22,50 N
Little Sitkin I.
Frm 00040
AI
Hawadax I.IK.rysi Pt.
ER25NO14.011
Agattu L/Cape Sabak11
AI
51 o 22.26 N
179° 27.93 E
10
3
3
3
52° 03.06 N
51 o 22.00 N
178° 08.80 E
179° 27.00 E
3
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
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Column Number I
2
4
3
5
Jkt 235001
Area16
Latitude
Longitude
Latitude
Longitude
7
8
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
10
3
3
3
3
3
3
3
3
3
3
3
3
3
3
(nm)
PO 00000
AI
51° 24A6N
179° 2421 E
Semisopochnoi/Petrel Pt.
AI
52° OL40N
179° 36.90 E
Fmt 4701
Semisopochnoi 1./Pochnoi Pt.
AI
51° 57.30 N
179° 46.00 E
10
Amatignak I./NitrofPt.
AI
51 o 13.00 N
179° 07.80 w
3
Unalga & Dinkum Rocks
AI
51° 33.67N
179° 04.25
w
51° 35.09 N
179° 03.66 w
3
Ulak 1./Hasgox Pt.
AI
51°18.90N
178° 58.90 w
51° 18.70N
178° 59.60 w
10
Kavalga I.
AI
51° 34.50N
178° 5L73 W
51° 34.50N
178° 49.50 w
3
Tag I.
AI
51 o 33.50 N
178° 34.50 w
10
Ugidaki.
AI
51° 34.95 N
178° 30,45
w
3
GrampRock
AI
51° 28.87 N
178° 20.58 w
10
Tanaga I./Bumpy Pt.
AI
51° 55.00 N
177° 58.50 w
Bobrofl.
AI
51 o 54.00 N
177° 27.00 w
3
Kanaga IJShip Rock
AI
51° 46.70 N
177° 20.72 w
10
Kanaga LINorth Cape
AI
51 o 56.50 N
177° 09.00 w
3
Adak I.
AI
51° 35.50 N
176° 57.10 w
Sfmt 4725
Frm 00041
Amchitka IJCape Ivakin
3
52° Ol.50N
E:\FR\FM\25NOR2.SGM
25NOR2
51° 55.00 N
51° 37.40N
179° 39.00 E
l77°57.10W
176° 59.60 w
3
10
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
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Boundaries from
Site Name
6
70325
ER25NO14.012
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70326
VerDate Sep<11>2014
Column Number I
2
4
3
5
Jkt 235001
Latitude
Longitude
Latitude
Longitude
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Area16
8
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
3
3
3
20
20
(nm)
PO 00000
E:\FR\FM\25NOR2.SGM
25NOR2
Great Sitkin L
AI
52° 06.00 N
176° 10.50 w
Anagaksik I.
AI
51°50.86N
175° 53.00 w
3
Kasatochi L
AI
52° 11.11 N
175° 31.00 w
10
Atka LIN. Cape
AI
52° 24.20N
174° 17.80W
3
Amlia I./Sviech. Harbor4•
AI
52° 01.80 N
173° 23.90 w
3
Sagigik L4 '
AI
52° 00.50 N
173° 09.30 w
3
Amlia I./East4• 13
AI
52° 05.70 N
172° 59.00 w
Tanadak L (Amlia)4 ' 13
AI
52° 04.20N
172° 57.60 w
3
20
20
Agligadak L4• 13
AI
52° 06.09 N
172° 54.23
w
20
20
20
Seguam 1./Saddleridge Pt.4 ' 13
AI
52° 21.05 N
172° 34.40 w
52° 21.02 N
172° 33.60 w
10
20
20
AI
52° 23.40N
172° 27.70 w
52° 23.25 N
172° 24.30 w
3
20
20
AI
52° 21.60N
172° 19.30W
52° 15.55 N
172° 31.22 w
3
20
20
AI
52° 27.25 N
171° 17.90W
3
20
20
Chagulak I. 13
Sfmt 4725
176°1HOW
Amukta L & Rocks 13
Fmt 4701
51°49.09N
Seguam I./South Side 13
Frm 00042
AI
Seguam L/Finch Pt. 13
ER25NO14.013
Little Tanaga Strait
AI
52° 34.00 N
171° l0.50W
3
20
20
3
52° 06.60N
52° 05.75 N
176° 07.00
w
172° 57.50 w
3
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
7
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Site Name
6
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VerDate Sep<11>2014
Column Number I
2
4
3
5
Jkt 235001
Latitude
Longitude
Longitude
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
10
Latitude
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Area16
8
20
20
10
20
20
(nm)
PO 00000
AI
52° 4L40N
170° 36,35
Uliaga5• 14
BS
53° 04.00 N
169° 47.00W
Fmt 4701
Chuginadak 14• 15
GOA
52° 46.70 N
169° 4L90W
20
20, 10
20
BS
53° 02.10 N
169° 4LOO W
10
20
20
GOA
52° 46.00 N
169° 15.00 w
20
10
20
AdugakL 5
BS
52° 54.70N
169° 10.50 w
10
BA
BA
E:\FR\FM\25NOR2.SGM
Umnak I./Cape Aslik5
BS
53° 25.00 N
168° 24.50 w
BA
BA
BA
OgchulL
GOA
52° 59.71 N
168° 24.24 w
20
10
20
BS
53° 55.69 N
168° 02.05
w
BA
BA
BA
Polivnoi Rock9
GOA
53° 15.96 N
20
10
20
25NOR2
167° 57.99 w
Emerald I. 12' 9
GOA
53o 17.50N
167° 51.50 w
20
10
20
Unalaska/Cape Izigan9
GOA
53° 13.64 N
167° 39.37 w
20
10
20
Unalaska/Bishop Pt. 6• 12
BS
53° 58.40 N
166° 57.50 w
10
10
3
Akutan I./Reef-lava6
BS
54° 08.10 N
166° 06.19
w
10
10
3
GOA
53° 50.50N
166° 05.00
w
20
10
20
Sfmt 4725
Frm 00043
w
Yunaska L 13
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
7
Boundaries to 1
Boundaries from
Site Name
6
Kagamils, 14
Samalga
Bogoslofi./Fire L5
Unalaska I./Cape Sedanka9
53° 05.00N
54° 09.10 N
169° 46.00 w
166° 05.50
w
70327
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Column Number I
2
4
3
5
Jkt 235001
Latitude
Longitude
Longitude
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
20
Latitude
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Area16
8
10
20
(nm)
PO 00000
E:\FR\FM\25NOR2.SGM
25NOR2
Akutan L/Cape Morgan9
GOA
54° 03,39 N
165° 59.65
w
54°03.70N
166° 03.68 w
20
10
20
BS
54° 17.62 N
165° 32.06 w
54°17.57N
165° 31.71
w
10
3
3
Rootok9
GOA
54° 03.90 N
165° 31.90 w
54° 02.90N
165° 29.50 w
20
10
20
Tanginak 1. 9
GOA
54o 12.00 N
165° 19.40 w
20
10
20
Tigalda/Rocks NE9
GOA
54° 09.60N
164° 59.00 w
20
10
20
BS
54° 34.30 N
164° 56.80 w
10
3
3
Aiktak9
GOA
54° 10.99 N
164° 51.15
w
20
10
20
UgamakC
GOA
54° 13.50 N
164° 47.50 w
20
10
20
Round (GOA) 9
GOA
54° 12.05 N
164° 46.60 w
20
10
20
Sea Lion Rock (Amak)
BS
55o 27.82 N
163° 12.10 w
10
7
7
BS
55° 24.20N
163° 09.60 w
10
3
3
GOA
54° 40.00 N
163° 17.15
w
10
GOA
54° 22.70 N
162° 21.30 w
3
South Rocks
Sfmt 4725
166° 04.90 w
Caton I.
Fmt 4701
53° 52,20 N
Bird I.
Frm 00044
GOA
Amak I. And rocks
ER25NO14.015
Old Man Rocks9
GOA
54° 18.14 N
162° 41.25
w
10
Akun I./Billings Head
Unimak/Cape Sarichef
54o 09.12 N
54° 12.80 N
55° 26.15 N
164° 57.18 w
164° 47.50 w
163° 08.50 w
3
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
7
Boundaries to 1
Boundaries from
Site Name
6
tkelley on DSK3SPTVN1PROD with RULES2
VerDate Sep<11>2014
Column Number I
2
4
3
5
Jkt 235001
Area16
Latitude
Longitude
Latitude
Longitude
7
8
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
(nm)
PO 00000
GOA
54o 4L98 N
162° 26.74
w
10
3
3
Clubbing Rocks (N)
GOA
54° 42.75 N
162° 26.72
w
10
3
3
Pinnacle Rock
GOA
54° 46.06 N
161° 45.85
w
3
3
3
Sushilnoi Rocks
GOA
54° 49.30 N
161° 42.73
w
10
Olga Rocks
GOA
55o 00.45 N
161° 29.81
w
Jude I.
GOA
55° 15.75 N
161° 06.27 w
20
E:\FR\FM\25NOR2.SGM
Sea Lion Rocks (Shumagins)
GOA
55° 04.70 N
160° 3L04 W
3
3
3
Nagai I./Mountain Pt.
GOA
54° 54.20 N
160° 15.40 w
3
3
3
The Whaleback
GOA
55° 16.82 N
160° 05.04 w
3
3
3
Chernabura I.
GOA
54° 45.18 N
20
3
3
25NOR2
159° 32.99 w
Castle Rock
GOA
55o 16.47N
159° 29.77 w
3
3
Atkins I.
GOA
55° 03.20 N
159° 17.40 w
20
3
3
Spitz I.
GOA
55° 46.60N
158° 53.90 w
3
3
3
Mitrofania
GOA
55° 50.20 N
158° 4L90 W
3
3
3
Kak
GOA
56° 17.30 N
157° 50.10 w
20
20
3
Frm 00045
Clubbing Rocks (S)
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
Boundaries to 1
Boundaries from
Site Name
6
Fmt 4701
Sfmt 4725
54o 59.09 N
54° 56.00N
54° 45.87N
161°30.89 w
160° 15.00 w
159° 35.74 w
10
70329
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VerDate Sep<11>2014
Column Number 1
2
4
3
Jkt 235001
Site Name
6
Area 16
Latitude
Longitude
Latitude
Longitude
8
9
Pacific Cod
No-fishing
Zones for
Trawl Gea?·3
Pacific Cod
No-fishing Zone
for Hook-andLine Gea~· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gea~· 3 (nm)
20
Boundaries to 1
7
20
20
(nm)
PO 00000
GOA
55° 46.79 N
157° 24.89 w
Sutwik I.
GOA
56° 31.05 N
157° 20.47 w
56° 32.00 N
157° 21.00 w
20
20
20
Fmt 4701
Chowiet I.
GOA
56° 00.54N
156° 41.42 w
56° 00.30N
156° 41.60 w
20
20
20
Nagai Rocks
GOA
55° 49.80 N
155° 47.50 w
20
20
20
Chirikofl.
GOA
55° 46.50 N
155° 39.50 w
20
20
20
Puale Bay
GOA
57o 40.60 N
155° 23.10 w
10
E:\FR\FM\25NOR2.SGM
Kodiak/Cape Ikolik
GOA
57o 17.20 N
154° 47.50 w
3
3
3
Takli I.
GOA
58° 01.75 N
154° 31.25 w
10
Cape Kuliak
GOA
58° 08.00 N
154° 12.50W
10
25NOR2
Cape Gull
GOA
58° 11.50 N
154° 09.60W
Kodiak/Cape U gat
GOA
57° 52.41 N
153° 50.97 w
10
Sitkinak/Cape Sitkinak
GOA
56° 34.30N
153° 50.96 w
10
ShakunRock
GOA
58° 32.80 N
153° 41.50W
10
Twoheaded I.
GOA
56° 54.50N
153° 32.75 w
Cape Douglas (Shaw 1.)
GOA
59° 00.00 N
153° 22.50 w
Sfmt 4725
Frm 00046
Lighthouse Rocks
ER25NO14.017
55o 46.44 N
58° 12.50N
56° 53.90N
155° 43.46 w
154° 10.50 w
153° 33.74 w
10
10
10
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
Boundaries from
5
tkelley on DSK3SPTVN1PROD with RULES2
VerDate Sep<11>2014
Column Number I
2
4
3
5
Jkt 235001
Area16
Latitude
Longitude
Latitude
Longitude
7
8
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
(nm)
PO 00000
w
25NOR2
Kodiak/Gull Poine
GOA
57° 2L45 N
152° 36.30 w
10, 3
Latax Rocks
GOA
58° 40.10N
152° 31.30 w
10
Ushagat 1./SW
GOA
58° 54.75 N
152° 22.20 w
10
UgakC
GOA
57o 23.60N
152° 17.50 w
Sea Otter I.
GOA
58° 31.15 N
152° 13.30 w
10
Long I.
GOA
57o 46.82 N
152° 12.90 w
10
Sud I.
GOA
58° 54.00 N
152° 12.50 w
10
Kodiak/Cape Chiniak
GOA
57° 37.90 N
152° 08.25
w
10
Sugarloaf I.
GOA
58° 53.25 N
152° 02.40
w
20
Sea Lion Rocks (Marmot)
GOA
58° 20.53 N
151° 48.83
w
10
GOA
58° 13.65 N
151° 47.75
w
GOA
59o 06.00N
151° 46.30 w
10
GOA
59° 05.75 N
151° 39.75
w
10
Gore Point
E:\FR\FM\25NOR2.SGM
152° 53.05
Perl
Sfmt 4725
57o 10,20 N
Nagahut Rocks
Fmt 4701
GOA
Marmot 1. 8
Frm 00047
Kodiak/Cape Barnabas
GOA
59° 12.00 N
150° 58.00 w
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
Boundaries to 1
Boundaries from
Site Name
6
10
3
57o 2L90N
58° 09.90 N
152° 17.40 w
151° 52.06 w
3
10,3
15,20
10
10
10
10
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Column Number I
2
4
3
5
Jkt 235001
Site Name
Boundaries to 1
Area 16
7
8
9
Pacific Cod
No-fishing
Zones for
Trawl Gear· 3
Pacific Cod
No-fishing Zone
for Hook-andLine Gear· 3
(nm)
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
10
10
20
3
3
3
3
Longitude
Latitude
Longitude
(nm)
59o 2LOON
150° 24,50 w
20
PO 00000
Latitude
GOA
59° 2050 N
150° 23.00 w
Steep Point
GOA
59° 29.05 N
150° 15.40 w
10
Fmt 4701
Seal Rocks (Kenai)
GOA
59° 3L20N
149° 37.50 w
10
Chiswell Islands
GOA
59° 36.00 N
149° 34.00W
10
Rugged Island
GOA
59o 50.00 N
149° 23.10 w
Point Elrington10' 11
GOA
59o 56.00N
148° 15.20 w
E:\FR\FM\25NOR2.SGM
Perry L10
GOA
60° 44.00N
147° 54.60 w
The Needle 10
GOA
60° 06.64 N
147° 36.17 w
Point Eleanor10
GOA
60° 35.00N
147° 34.00 w
Wooded L (Fish L)
GOA
59° 52.90 N
147° 20.65
25NOR2
Glacier Island 10
GOA
60° 51.30 N
147° 14.50 w
Seal Rocks (Cordova) 11
GOA
60° 09.78 N
146° 50.30 w
20
Cape Hinchinbrook 11
GOA
60° 14.00N
146° 38.50 w
20
MiddletonL
GOA
59° 28.30N
146° 18.80 w
10
Hook Point11
GOA
60° 20.00N
146° 15.60 w
20
Sfmt 4725
Frm 00048
Outer (Pye) L
ER25NO14.019
w
59o 5LOON
149° 24.70W
10
20
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
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6
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3
4
21:39 Nov 24, 2014
Jkt 235001
Site Name
6
Boundaries to 1
Area16
7
8
9
Pacific Cod
No-fishing
Zones for
Pacific Cod
No-fishing Zone
for Hook-and-
Traw1Ge~· 3
Boundaries from
5
LineGe~· 3
Pacific Cod
No-fishing
Zone for Pot
Gear·3 (nm)
(nm)
Longitude
59° 47.50 N
144° 36.20W
Latitude
Longitude
(nm)
PO 00000
Latitude
Frm 00049
Cape St. Elias
GOA
20
Fmt 4701
Sfmt 4725
E:\FR\FM\25NOR2.SGM
25NOR2
BS = Bering Sea, AI = Aleutian Islands, GOA= Gulf of Alaska
1 Where two sets of coordinates are given, the baseline extends in a clock-wise direction from the first set of geographic coordinates along the
shoreline at mean lower-low water to the second set of coordinates. Where only one set of coordinates is listed, that location is the base point.
2 Closures as stated in 50 CFR 679.22(a)(7)(v), (a)(8)(iv), and (b)(2)(iii).
3 No-fishing zones for vessels with a Federal Fisheries Permit are the waters between 0 nm and the nm specified in columns 7, 8, and 9 around
each site and within the Bogoslofarea (BA) and the Seguam Foraging Area (SFA).
4 Some or all of the restricted area is located in the SF A, which is closed to all gear types. The SF A is established as all waters within the area
between 52°N lat. and 53°N lat. and between 173°30' W long. and 172°30' W long.
5 This site lies within the BA, which is closed to all gear types. The BA consists of all waters of area 518 as described in Figure 1 of this part south
of a straight line connecting 55°00'N/170°00'W, and 55°00' N/168°11 '4. 75" W.
6 Hook-and-line no-fishing zones apply only to vessels greater than or equal to 60 feet LOA in waters east of 167° W long. For Bishop Point the
10 nm closure west of 167° W.long. applies to all hook-and-line and jig vessels.
7 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for Pacific cod with trawl gear in waters between 0 nm and 10 nm,
effective from January 20, 1200 hours, A.l.t., through June 10, 1200 hours, A.l.t. Vessels with a Federal Fisheries Permit are prohibited from
directed fishing for Pacific cod with trawl gear in waters between 0 nm and 3 nm, effective from September 1, 1200 hours, A.l.t., through
November 1, 1200 hours, A.l.t.
8 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for Pacific cod with trawl gear in waters between 0 nm and 15 nm,
effective from January 20, 1200 hours, A.l.t., to June 10, 1200 hours, A.l.t. Vessels with a Federal Fisheries Permit are prohibited from directed
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
Column Number 1
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Frm 00050
°
Fmt 4701
Sfmt 4700
E:\FR\FM\25NOR2.SGM
25NOR2
Federal Register / Vol. 79, No. 227 / Tuesday, November 25, 2014 / Rules and Regulations
21:39 Nov 24, 2014
11. Revise Table 6 to Part 679 to read
as follows:
■
VerDate Sep<11>2014
ER25NO14.021
fishing for Pacific cod with trawl gear in waters between 0 nm and 20 nm, effective from September 1, 1200 hours, A.l.t., through November 1,
1200 hours, A.l.t.
9 Restriction area includes only waters of the Gulf of Alaska Area.
1 Contact the Alaska Department of Fish and Game for fishery restrictions at these sites.
11 The 20 nm closure around this site is effective only in waters outside of the State of Alaska waters of Prince William Sound.
12 See 50 CFR 679.22(a)(7)(i)(C) for exemptions for catcher vessels less than 60 feet (18.3 m) LOA using jig or hook-and-line gear between
Bishop Point and Emerald Island closure areas.
13 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for Pacific cod with hook-and-line and pot gear in waters between 0
nm and 3 nm from rookeries west of 172°59' W long. and in waters located between 0 nm and 20 nm east of 172°59' W long.
14 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for Pacific cod with hook-and-line and pot gears only in waters
located between 0 nm and 20 nm of these sites west of 170° W long.
15 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for Pacific cod with hook-and-line gear in waters located between 0
nm and 10 nm on the east side of 170° W long. and are prohibited in waters located between 0 nm and 20 nm on the west side of 170° W long.
16Unless otherwise noted, closures apply to reporting areas of the Bering Sea, Aleutian Islands and Gulf of Alaska, including adjacent state waters.
tkelley on DSK3SPTVN1PROD with RULES2
VerDate Sep<11>2014
Table 6 to Part 679-Steller Sea Lion Protection Areas Atka Mackerel Fisheries Restrictions
2
Site Name
Area8
3
4
Boundaries from
5
6
7
Boundaries to 1
Latitude
Longitude
52 55.40 N
172 27.20 E
10
Aleutian Islands
52 54.60N
172 27.90 E
Agattu 1./Gillon Pt.
Aleutian Islands
52 24.13 N
173 21.31 E
10
Attu 1./Chirikof Pt.
Aleutian Islands
52 49.75 N
173 26.00 E
3
Agattu I./Cape Sabak
Aleutian Islands
52 22.50N
173 43.30 E
52 21.80 N
173 41.40 E
10
Alaid I.
Aleutian Islands
52 46.50N
173 51.50 E
52 45.00N
173 56.50 E
3
Shemyal.
Aleutian Islands
52 44.00N
174 08.70 E
Buldir I.
Aleutian Islands
52 20.25 N
175 54.03 E
52 20.38 N
175 53.85 E
10
Kiska I./Cape St. Stephen
Aleutian Islands
51° 52.50 N
177° 12.70 E
51 o 53.50 N
177° 12.00 E
10
Kiska 1./Sobaka & Vega
Aleutian Islands
51° 49.50 N
177° 19.00 E
51 o 48.50 N
177° 20.50 E
3
Kiska I./Lief Cove
Aleutian Islands
51° 57.16 N
177° 20.41 E
51 o 57.24 N
177° 20.53 E
10
Kiska I./Sirius Pt.
Aleutian Islands
52° 08.50 N
177° 36.50 E
3
Tanadak I. (Kiska)
Aleutian Islands
51° 56.80 N
177° 46.80 E
3
Segula 1. 6
Aleutian Islands
51° 59.90 N
178° 05.80 E
Aleutian Islands
51°45.36N
178° 24.30 E
20
Aleutian Islands
51° 49.98 N
178° 12.35 E
20
Little Sitkin I. 6
Aleutian Islands
51° 59.30 N
178° 29.80 E
20
Amchitka I./Column Rocks
Aleutian Islands
51° 32.32 N
178° 49.28 E
20
Amchitka I./East Cape
Aleutian Islands
51° 22.26 N
179° 27.93 E
Amchitka I./Cape Ivakin
Aleutian Islands
51° 24.46 N
179° 24.21 E
Semisopochnoi/Petrel Pt. 6
Aleutian Islands
52° 01.40 N
179° 36.90 E
PO 00000
Attu I./Cane Wran2:ell
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179° 46.00 E
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Amatignak I. NitrofPt.
Aleutian Islands
51°13.00N
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51° 33.67 N
Ulak I./Hasgox Pt.
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51° 18.90N
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Aleutian Islands
51° 34.95 N
Aleutian Islands
51° 28.87N
Aleutian Islands
51° 55.00 N
Bobrofl.
Aleutian Islands
51° 54.00N
Kanaga I./Ship Rock
Aleutian Islands
51° 46.70 N
Kanaga I./North Cape
Aleutian Islands
51° 56.50 N
Adak I.
Aleutian Islands
51°35.50N
Little Tanaga Strait
Aleutian Islands
51°49.09N
Great Sitkin I.
Aleutian Islands
52° 06.00N
Anagaksik I.
Aleutian Islands
51° 50.86 N
Kasatochi I.
Aleutian Islands
52° 11.11 N
w
178° 58.90 w
178° 51.73 w
178° 34.50 w
178°30.45 w
178° 20.58 w
177° 58.50 w
177° 27.00 w
177° 20.72 w
177° 09.00 w
176° 57.10 w
176° 13.90 w
176° 10.50 w
175° 53.00 w
175° 31.00 w
Atka 1./North Cape
Aleutian Islands
52°24.20N
174°17.80W
20
Amlia I./Sviech. Harbor5
Aleutian Islands
52° 01.80 N
173° 23.90 w
20
Sagigik 1.5' 7
Aleutian Islands
52° 00.50 N
173° 09.30 w
20
Aleutian Islands
52° 05.70 N
172° 59.00 w
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179° 04.25
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51°35.09N
179° 03.66 w
3
51°18.70N
178° 59.60 w
10
51 o 34.50 N
178° 49.50 w
3
10,20
3,20
10,20
51°55.00N
177° 57.10 w
3,20
20
20
20
51°37.40N
176° 59.60 w
20
20
52° 06.60N
176° 07.00 w
20
20
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172° 57.50 w
20
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52° 04.20N
172° 57.60 w
20
Agligadak I. 5' 7
Aleutian Islands
52° 06.09 N
172° 54.23
20
52° 21.02 N
172° 33.60 w
20
52° 23.25 N
172° 24.30 w
20
52° 15.55 N
172° 31.22 w
12
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52° 21.05 N
Seguam I./Finch
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Aleutian Islands
52° 23.40 N
w
172° 34.40 w
172° 27.70 w
Seguam I./South
Side5• 7
Aleutian Islands
52° 21.60 N
172° 19.30W
Amukta I. & Rocks 7
Aleutian Islands
52° 27.25 N
171° 17.90 w
20
Chagulakl.
Aleutian Islands
52° 34.00 N
171° 10.50 w
20
Yunaska I.
Aleutian Islands
52° 41.40 N
170° 36.35
w
20
Seguam 1./Saddleridge Pt. 5• 7
1 Where
E:\FR\FM\25NOR2.SGM
25NOR2
two sets of coordinates are given, the baseline extends in a clock-wise direction from the first set of geographic coordinates along the
shoreline at mean lower-low water to the second set of coordinates. Where only one set of coordinates is listed, that location is the base point.
2 Closures as stated in 50 CFR 679.22(a)(7)(vi).
3 No-fishing zones for vessels with a Federal Fisheries Permit are the waters between 0 nm and the nm specified in column 7 around each site.
4 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for Atka mackerel using trawl gear in waters located:
a) 0 nm to 20 nm seaward of these sites and east of 178° W long.
b) 0 nm to 3 nm seaward ofUgidak and Tanaga I./Bumpy Pt and west of 178° W long.
c) 0 nm to 10 nm seaward of Tag I. and Gramp Rock and west of 178° W long.
5 Some or all of the restricted area is located in the Seguam Foraging Area (SF A), which is closed to all gear types. The SF A is established as all
waters within the area between 52° N lat. and 53° N lat. and between 173° 30' W long. and 172° 30' W long.
6 Vessels with a Federal Fisheries Permit are prohibited from directed fishing for Atka mackerel using trawl gear in waters located 0 nm to 20 nm
from this site between 178°E long. to 180° long. and in waters located 0 nm and 3 nm from Segula Island west of 178°E long.
7 The Seguam Atka Mackerel Open Area (SAMOA) to the southeast of Seguam Pass in Area 541 is formed by the following coordinates in the
order specified in a clock-wise direction. The SAMOA is open when directed fishing for Atka mackerel in Area 541 is open.
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From
172° 17.760'W/51° 57.000'N
172° 41.400' W/51 o 57.000' N
172° 37.500' W/52° 0.000' N
172° 30.000' W/52° 0.000' N
172° 30.000' W/52° 3.600' N
172° 20.400' W/52° 4.800' N
172° 13.200' W/52° 7.080' N
172° 6.600' W/52° 9.600' N
172° 2.400' W/52° 12.000' N
172° 0.000' W/52° 12.000' N
172° 0.000' W/52° 14.820' N
171 o 58.200' W/52° 18.000' N
171 o 58.200' W/52° 24.000' N
171 o 54.000' W/52° 24.000' N
171 o 54.000' W/52° 27.000' N
171 o 42.000' W/52° 27.000' N
171 o 42.000' W/52° 18.000' N
171 o 48.000' W 52° 18.000' N
171 o 48.000' W 52° 11.760' N
8 Unless otherwise noted, closures apply to reporting areas of the Aleutian Islands, including adjacent state waters.
Agencies
[Federal Register Volume 79, Number 227 (Tuesday, November 25, 2014)]
[Rules and Regulations]
[Pages 70285-70338]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2014-27658]
[[Page 70285]]
Vol. 79
Tuesday,
No. 227
November 25, 2014
Part II
Department of Commerce
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National Oceanic and Atmospheric Administration
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15 CFR Part 902
50 CFR Part 679
Fisheries of the Exclusive Economic Zone Off Alaska; Steller Sea Lion
Protection Measures for the Bering Sea and Aleutian Islands Groundfish
Fisheries Off Alaska; Final Rule
Federal Register / Vol. 79 , No. 227 / Tuesday, November 25, 2014 /
Rules and Regulations
[[Page 70286]]
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
15 CFR Part 902
50 CFR Part 679
[Docket No. 140304195-4947-02]
RIN 0648-BE06
Fisheries of the Exclusive Economic Zone Off Alaska; Steller Sea
Lion Protection Measures for the Bering Sea and Aleutian Islands
Groundfish Fisheries Off Alaska
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: NMFS issues regulations to implement Steller sea lion
protection measures to insure that groundfish fisheries in the Bering
Sea and Aleutian Islands Management Area (BSAI) off Alaska are not
likely to jeopardize the continued existence of the western distinct
population segment (WDPS) of Steller sea lions or destroy or adversely
modify their designated critical habitat. These management measures
disperse fishing effort temporally and spatially to provide protection
from potential competition for important Steller sea lion prey species.
This action is intended to protect the endangered Steller sea lions, as
required by the Endangered Species Act, and to minimize, to the extent
practicable, the economic impact of fishery management measures, as
required by the Magnuson-Stevens Fishery Conservation and Management
Act.
DATES: Effective December 26, 2014.
ADDRESSES: Electronic copies of:
The Steller Sea Lion Protection Measures for Groundfish
Fisheries in the Bering Sea and Aleutian Islands Management Area
Environmental Impact Statement (EIS), the Record of Decision, and the
Regulatory Impact Review/Initial Regulatory Flexibility Analysis (RIR/
IRFA) prepared for this action are available from https://www.regulations.gov or from the NMFS Alaska Region Web site at https://alaskafisheries.noaa.gov/sustainablefisheries/sslpm/eis/default.htm.
The 2001 Biological Opinion for the Authorization of the
Bering Sea and Aleutian Islands and Gulf of Alaska Groundfish Fisheries
(2001 BiOp), the 2010 Biological Opinion on the Authorization of
Groundfish Fisheries under the Fishery Management Plans (FMP BiOp), and
the 2014 Biological Opinion for the Authorization of Alaska Groundfish
Fisheries under the Proposed Revised Steller Sea Lion Protection
Measures (2014 BiOp) are available at https://alaskafisheries.noaa.gov/protectedresources/stellers/section7.htm.
The 2008 Revised Steller Sea Lion Recovery Plan (2008
Recovery Plan) is available from the NMFS Alaska Region Web site at
https://alaskafisheries.noaa.gov/protectedresources/stellers/recovery.htm.
The Fishery Management Plan for Groundfish of the Bering
Sea and Aleutian Islands Management Area FMP is available from the
North Pacific Fishery Management Council Web site at https://www.npfmc.org/wp-content/PDFdocuments/fmp/BSAI/BSAIfmp.pdf.
Written comments regarding the burden-hour estimates or other
aspects of the collection-of-information requirements contained in this
final rule may be submitted to NMFS at the above address and by email
to Submission@omb.eop.gov">OIRA_Submission@omb.eop.gov or fax to 202-395-5806.
FOR FURTHER INFORMATION CONTACT: Gretchen Harrington, 907-586-7228.
SUPPLEMENTARY INFORMATION: NMFS published a proposed rule to implement
Steller sea lion protection measures on July 1, 2014 (79 FR 37486). The
comment period on the proposed rule ended on August 15, 2014. NMFS
received 17 letters of comments on the proposed rule. Additional
background information and detail on this action is provided in the
proposed rule and is briefly summarized in this final rule.
NMFS manages groundfish fisheries in the exclusive economic zone
(EEZ) under the Fishery Management Plan for Groundfish of the Bering
Sea and Aleutian Islands Management Area (FMP). The North Pacific
Fishery Management Council (Council) prepared the FMP under the
authority of the Magnuson-Stevens Fishery Conservation and Management
Act (Magnuson-Stevens Act), 16 U.S.C. 1801, et seq. Regulations
governing fisheries and implementing the FMP appear at 50 CFR parts 600
and 679.
NMFS has management responsibility for certain threatened and
endangered species, including Steller sea lions, under the Endangered
Species Act (ESA) of 1973, 16 U.S.C. 1531, et seq. NMFS has the
authority to promulgate regulations to enforce provisions of the ESA to
protect such species. As the action agency, NMFS is responsible for
conducting a section 7 consultation to insure that the Federal action
of authorizing the Alaska groundfish fisheries is not likely to
jeopardize the continued existence of an ESA-listed species or result
in the destruction or adverse modification of its designated critical
habitat. Under the provisions of section 7 of the ESA, NMFS Alaska
Region Sustainable Fisheries Division (SFD) is the action agency and
consults with the NMFS Alaska Region Protected Resources Division (PRD)
on the impacts of groundfish fisheries for most ESA-listed species of
marine mammals, including Steller sea lions.
NMFS listed the WDPS of Steller sea lions as endangered under the
ESA in 1997 (62 FR 24345, May 5, 1997). Throughout this preamble, the
term ``Steller sea lions'' means the WDPS of Steller sea lions unless
otherwise specified. Steller sea lions are distributed from Prince
William Sound through the Aleutian Islands in Alaska and in Russia on
the Kamchatka peninsula, Kuril Islands, and the Sea of Okhotsk. NMFS
uses six sub-regions within Alaska for trend and status monitoring of
Steller sea lions. These sub-regions include the eastern Gulf of Alaska
(GOA), central GOA, and western GOA, the eastern Aleutian Islands/
Bering Sea, central Aleutian Islands, and the western Aleutian Islands.
A seventh sub-region is located outside of the United States and is
commonly referred to as the Russian sub-region because most of the
Steller sea lion population in that sub-region is concentrated in
Russia.
NMFS designated critical habitat for Steller sea lions and
identified haulouts, rookeries, and foraging locations throughout
Alaska waters ranging throughout the GOA, the Bering Sea, and the
Aleutian Islands (58 FR 45269, August 27, 1993). Since publication of
critical habitat definitions in 1993 (see 50 CFR 226.202), NMFS has
identified 19 additional haulouts in the BSAI and the GOA as important
areas for Steller sea lions needing additional protection from the
potential effects of groundfish fishing. More information and
justification for including these haulouts are contained in the 2001
BiOp (see ADDRESSES). NMFS is currently considering revisions to the
critical habitat designation to take into account new information that
has become available since NMFS designated critical habitat in 1993 (79
FR 46392, August 8, 2014).
Since listing Steller sea lions, NMFS has implemented a number of
management measures, commonly known as Steller sea lion protection
measures, to protect Steller sea lion prey
[[Page 70287]]
from the potential effects of groundfish fishing. Steller sea lion
protection measures disperse catch of groundfish prey species in time
(temporal dispersion) and space (spatial dispersion) through a variety
of harvest limitations and closure areas. Many of these Steller sea
lion protection measures apply specifically to Atka mackerel, Pacific
cod, and pollock, which are important prey species for Steller sea
lions.
Section 3.5.3 of the FMP, approved by the Secretary of Commerce
under the Magnuson-Stevens Act, authorizes regulations for fishery
management measures to protect marine mammals, without requiring
amendment of the FMP itself (see ADDRESSES). Steller sea lion
protection measures for the Alaska groundfish fisheries have been
implemented under this FMP authority since 1998.
NMFS has revised the Steller sea lion protection measures several
times. NMFS has conducted several ESA consultations to assess the
impact of the groundfish fisheries on Steller sea lions. Previous
actions to implement Steller sea lion protection measures and their
accompanying ESA consultations have been subject to litigation. A
detailed history of previous Steller sea lion protection measures, ESA
section 7 consultations (i.e., biological opinions), and litigation is
provided in Chapter 1 of the EIS (see ADDRESSES).
The most recent Steller sea lion protection measures were
implemented in 2011 with the 2010 Interim Final Rule (75 FR 77535,
December 13, 2010; corrected 75 FR 81921, December 29, 2010). Steller
sea lion protection measures implemented in the 2010 Interim Final Rule
limit harvest of Atka mackerel and Pacific cod. NMFS implemented these
management measures consistent with the reasonable and prudent
alternative (RPA) recommended in the 2010 FMP BiOp that NMFS determined
were necessary to insure that the Alaska groundfish fisheries were not
likely to jeopardize the continued existence of Steller sea lions or
result in the destruction or adverse modification of their designated
critical habitat. The 2010 Interim Final Rule established Steller sea
lion protection measures primarily in the Aleutian Islands, based on
the population trends of the Steller sea lions and the harvest of
principal prey species by the groundfish fisheries in the Aleutian
Islands. This action retains some and modifies some of the Steller sea
lion protection measures implemented by the 2010 Interim Final Rule.
This final rule implements a suite of management measures for the
Atka mackerel, Pacific cod, and pollock fisheries primarily in the
Aleutian Islands. These management measures protect Steller sea lion
prey to comply with the ESA requirement that NMFS insure that its
actions are not likely to jeopardize the continued existence of
endangered species or destroy or adversely modify its critical habitat.
To protect Steller sea lion prey availability, this final rule protects
specific areas that are important to Steller sea lions and limits the
amount of fishing within Steller sea lion critical habitat. This final
rule maintains a precautionary approach to the management of Steller
sea lion prey species by spatially and temporally dispersing catch,
particularly in critical habitat, to prevent localized depletion of
these important prey resources. While protecting Steller sea lion prey,
this final rule also enhances fishing opportunities and minimizes
potential adverse economic impacts on fishery participants and
communities by removing restrictions on fishing implemented by the 2010
Interim Final Rule that have been determined to be unnecessary based on
the 2014 BiOp.
NMFS analyzed the impacts of the action and its alternatives in an
EIS (see ADDRESSES). NMFS published a notice of intent to prepare the
EIS in the Federal Register on April 17, 2012 (77 FR 22750). The
scoping period for the EIS was approximately 6 months with the period
ending October 15, 2012. NMFS also held a public scoping meeting in
coordination with a Council meeting on October 2, 2012 (77 FR 52674,
August 30, 2012). NMFS released the draft EIS for public review on May
17, 2013 (78 FR 29131). The comment period for the draft EIS ended on
July 16, 2013. NMFS released the final EIS on May 23, 2014 (79 FR
29759).
The decision analyzed in the EIS was whether to maintain the
existing suite of Steller sea lion protection measures (Alternative 1,
the 2010 Interim Final Rule) or to implement a new suite of Steller sea
lion protection measures (Alternatives 2, 3, 4, 5, or 6). To provide a
comprehensive analysis of the effects of the alternatives, the EIS
compares the six alternatives relative to each other and relative to a
baseline period used to assess the environmental conditions affecting
Steller sea lions (generally from 2004 through 2010). NMFS developed
these alternatives through a collaborative process with the Council and
its Steller Sea Lion Mitigation Committee, and considered public
comments received during the scoping process for the EIS and during the
public review of the draft EIS.
NMFS developed all alternatives with the understanding that a
preferred alternative could only be selected as the proposed action and
implemented through rule making if NMFS could insure that the action
was not likely to jeopardize the continued existence of the Steller sea
lions or result in destruction or adverse modification of their
designated critical habitat. The Council and NMFS understood that a
preferred alternative and any resulting rule must meet the requirements
of the ESA before factors that minimize the economic impacts on fishery
participants could be considered. A detailed discussion of the purpose
and need for the action is provided in the EIS (see ADDRESSES).
The alternatives ranged from Alternative 6, an alternative that
would restrict fishing more than the status quo alternative
(Alternative 1), to Alternative 4, the alternative that would allow the
most fishing opportunities. Alternative 4 would reinstate the Steller
sea lion protection measures that were in place prior to the 2010
Interim Final Rule, with a few exceptions. Alternatives 2, 3, and 5
provided more fishing opportunities and fewer protection measures than
Alternative 1, but included more protection measures than Alternative
4. Additional description of the alternatives is available in the EIS
(see ADDRESSES).
In October 2013, the Council recommended Alternative 5 as the
preferred alternative for the EIS. Alternative 5 is a suite of
management measures for the Atka mackerel, Pacific cod, and pollock
fisheries that includes fishery closures and limitations on catch in
specific areas to mitigate the potential adverse effects of fishing on
Steller sea lion prey resources. Alternative 5 retains important
Steller sea lion protection measures in Alternative 1 and also allows
more fishing by removing or modifying some of measures in Alternative
1. Alternative 5 includes authorization for specific fishery research
in the BSAI. This final rule implements the Steller sea lion protection
measures in Alternative 5.
The Council recommended Alternative 5 as the preferred alternative
based on the analysis in the draft EIS, public comments, advice from
its Steller Sea Lion Mitigation Committee, input from the Council's
Advisory Panel and Scientific and Statistical Committee, and the best
available scientific information. The Council considered the findings
of the 2010 FMP BiOp, a review of the 2010 FMP BiOp sponsored by NMFS
and conducted by the Center
[[Page 70288]]
for Independent Experts, and a review of the FMP BiOp sponsored by the
States of Alaska and Washington. In recommending Alternative 5 as its
preferred alternative, the Council determined that Alternative 5 would
implement management measures that protect Steller sea lion prey as
required by the ESA. The Council determined that Alternative 5 would
protect specific areas that are important to Steller sea lions and
limit the amount of fishing within Steller sea lion critical habitat in
order to protect Steller sea lion prey availability. Alternative 5
maintains a precautionary approach to the management of Steller sea
lion prey species in critical habitat by spatially and temporally
dispersing catch to prevent localized depletion of these important prey
resources.
NMFS conducted a consultation on the proposed action as required
under section 7 of the ESA to determine whether fishing under
Alternative 5 would be likely to jeopardize the continued existence of
Steller sea lions or destroy or adversely modify their critical
habitat. NMFS issued a biological opinion on April 2, 2014 (2014 BiOp,
see ADDRESSES). New information in the external reviews of the 2010 FMP
BiOp and the new analyses that NMFS conducted in response to those
external reviews were incorporated into the 2014 BiOp to further
understand the effects of the groundfish fisheries on Steller sea
lions.
The 2014 BiOp found that the implementation of the proposed action
(Alternative 5) was not likely to jeopardize the continued existence of
Steller sea lions and was not likely to destroy or adversely modify
designated Steller sea lion critical habitat. The conclusions in the
2014 BiOp were reached after considering the best scientific and
commercial information available, including Steller sea lion behavior
and fisheries data. The 2014 BiOp concludes that the proposed action
would establish Steller sea lion protection measures for the Atka
mackerel, Pacific cod, and pollock fisheries in the Aleutian Islands
subarea that spatially and temporally disperse fishing to mitigate
potential competition for prey resources between Steller sea lions and
these fisheries. Spatial and temporal fishery dispersion is
accomplished through closure areas, harvest limits, seasonal
apportionment of harvest limits, and limits on participation in a
fishery. The proposed action would retain or modify existing closure
areas, harvest limits, seasonal apportionment of harvest limits, and
limits on participation in ways that are designed to limit competition
for prey with Steller sea lions.
The best available scientific information suggests that the effects
of the groundfish fisheries on Steller sea lions may be greatest around
rookeries and haulouts due to the overlap of foraging Steller sea lions
and harvest of their prey species in the fisheries. This action limits
fishing to the greatest extent from 0 nm to 3 nm from rookeries and
haulouts, which corresponds with the highest observed at-sea use by
adult female, young-of-the-year, and juvenile Steller sea lions, as
shown in the Steller sea lion telemetry data described in the 2014 BiOp
(see Chapter 5 of the EIS and Section 5.4 of the 2014 BiOp).
The 2014 BiOp identified the importance of maintaining global, or
broad scale, limits on the harvest of Atka mackerel, Pacific cod, and
pollock. Global limits are currently in place for these three species.
Regulations prohibit directed fishing in the BSAI or GOA if the
projected spawning biomass of the fish stock falls below 20 percent of
the unfished spawning biomass (see regulations at Sec. 679.20(d)(4)).
Atka mackerel, Pacific cod, and pollock fisheries have not experienced
this type of directed fishing closure since global limits became
effective in 2003 (68 FR 204, January 2, 2003).
Steller Sea Lion Protection Measures
This final rule implements a comprehensive suite of Steller sea
lion protection measures. Steller sea lion protection measures regulate
fishing by applying a combination of closed areas, harvest limits, and
seasons that reduce fishery competition for Steller sea lion prey when
and where Steller sea lions forage. To improve monitoring, this final
rule also requires vessels named on a Federal Fisheries Permit (FFP),
that use trawl gear to harvest groundfish that is deducted from the
Federal total allowable catch (TAC), to set their vessel monitoring
system (VMS) to transmit the vessel location at least 10 times per
hour.
This section provides a summary of the Steller sea lion protection
measures implemented in this final rule. For a more detailed
explanation of the regulatory provisions and the purpose of each
provision, please see the preamble to the proposed rule (79 FR 37486,
July 1, 2014). The preamble to the proposed rule also provides a
detailed comparison of this final rule with the 2010 Interim Final
Rule.
Atka Mackerel, Pacific Cod, and Pollock Fisheries
This final rule applies primarily to the Atka mackerel, Pacific
cod, and pollock fisheries in the Aleutian Islands reporting area,
defined at Sec. 679.2 and shown in Figure 1 to 50 CFR part 679. The
Aleutian Islands reporting area consists of Statistical Areas 541, 542,
and 543 in the EEZ and adjacent State of Alaska (State) waters. The EEZ
includes Federal waters that generally occur from 3 nautical miles (nm)
to 200 nm from shore. State waters generally occur from shore to 3 nm
from shore. Area 541 and adjacent State waters correspond to the
eastern Aleutian Islands; Area 542 and adjacent State waters correspond
to the central Aleutian Islands; and Area 543 and adjacent State waters
correspond to the western Aleutian Islands.
This final rule applies to vessels that catch groundfish that are
required to be deducted from a TAC under Sec. 679.20 and that are
required to be named on a FFP issued under Sec. 679.4(b) in the BSAI
reporting area. This rule also applies to vessels that harvest
groundfish in State waters that are managed under the State's parallel
groundfish fisheries. Parallel groundfish fisheries are fisheries that
occur in State waters and where the catch of groundfish is deducted
from the Federal TAC. Parallel groundfish fisheries are opened and
closed by the State concurrently with adjacent Federal fisheries.
Parallel fisheries are managed by the State under regulations similar
to those that apply in the Federal fisheries. The State parallel
fisheries that would be affected by this action are the fisheries for
groundfish that occur in State waters adjacent to the BSAI. Additional
detail on State parallel fisheries is provided in Chapters 3 and 8 of
the EIS (see ADDRESSES).
Area Closures
NMFS has designated 100,286 square kilometers as critical habitat
for Steller sea lions in the Aleutian Islands. This subsection
summarizes the critical habitat closed to fishing under this final
rule. A detailed discussion of the amount of critical habitat closed
under this final rule is in Section 5.3 of the 2014 BiOp (see
ADDRESSES). The area closures are implemented by regulations at Sec.
679.22 and Table 6 to 50 CFR part 679 for Atka mackerel, Table 5 to 50
CFR part 679 for Pacific cod, and Table 4 to 50 CFR part 679 for
pollock.
With the final rule, NMFS is closing 90 percent of critical habitat
in the Aleutian Islands to Atka mackerel fishing, which results in 8
percent more area open for Atka mackerel fishing in the Aleutian
Islands compared to the areas closed under the 2010 Interim Final Rule.
This final rule prohibits directed fishing with trawl gear for Atka
mackerel in waters from 0 nm to 3 nm
[[Page 70289]]
from haulouts and from 0 nm to 10 nm from rookeries in Areas 543 and
542. This final rule also prohibits directed fishing for Atka mackerel
in waters from 0 nm to 20 nm from Steller sea lion haulouts and
rookeries in Area 542 located between 178[deg] E longitude and 180[deg]
E longitude and east of 178[deg] W longitude. In Area 541, this final
rule prohibits directed fishing with trawl gear inside critical
habitat, except for a portion of critical habitat from 12 nm to 20 nm
around Seguam Island.
With the final rule, NMFS is closing 22 percent of critical habitat
in the Aleutian Islands to Pacific cod fishing with non-trawl gear
(hook-and-line, pot, and jig), which results in 23 percent more area
open to Pacific cod fishing with non-trawl gear in the Aleutian Islands
compared to the areas closed under the 2010 Interim Final Rule. In Area
543, this final rule prohibits directed fishing for Pacific cod in
waters from 0 nm to 3 nm from rookeries and from 0 nm to 10 nm from
Buldir Island for hook-and-line and pot gear vessels. In Area 542, this
final rule prohibits directed fishing for Pacific cod in waters from 0
nm to 3 nm from rookeries for hook-and-line and pot gear vessels. In
Area 541, this final rule prohibits directed fishing for Pacific cod in
waters from 0 nm to 3 nm from rookeries west of 172.59[deg] W longitude
and in critical habitat from 0 nm to 20 nm east of 172.59[deg] W
longitude for hook-and-line and pot gear vessels. Directed fishing for
Pacific cod with hook-and-line, pot gear, and jig gear vessels is
prohibited in the Seguam Foraging Area.
With the final rule, NMFS is closing 52 percent of critical habitat
in the Aleutian Islands to Pacific cod fishing with trawl gear, which
results in 23 percent more area open to Pacific cod fishing with trawl
gear in the Aleutian Islands compared to the areas closed under the
2010 Interim Final Rule. In Area 543, this final rule prohibits
directed fishing for Pacific cod with trawl gear vessels in waters from
0 nm to 3 nm from haulouts and from 0 nm to 10 nm from rookeries. In
Area 542, this final rule prohibits directed fishing for Pacific cod
with trawl gear vessels in waters from 0 nm to 3 nm from haulouts and
from 0 nm to 10 nm from rookeries. In Area 541, this final rule
prohibits directed fishing for Pacific cod with trawl gear vessels in
waters from 0 nm to 3 nm from haulouts and from 0 nm to 10 nm from
rookeries, and from 0 nm to 20 nm around Agligadak Island.
With this final rule, NMFS is closing 65 percent of critical
habitat in the Aleutian Islands to pollock fishing, which results in 35
percent more area open to pollock fishing in the Aleutian Islands
compared to the previous closures. In Area 543, this final rule
prohibits directed fishing for pollock in 95 percent of critical
habitat, including 0 nm to 20 nm from rookeries and haulouts, except 3
nm to 20 nm from Shemya, Alaid and Chirikof haulouts that remain
outside of 20 nm from rookeries. In Area 542, west of 178[deg] W
longitude, this final rule prohibits directed fishing for pollock in
waters from 0 nm to 20 nm from haulouts and rookeries, except in the
specified open area near the Rat Islands. East of 178[deg] W longitude,
this final rule prohibits directed fishing for pollock in waters from 0
nm to 3 nm from haulouts and from 0 nm to 10 nm from rookeries, except
at Kanaga Island/Ship Rock where directed fishing for pollock is
prohibited in waters from 0 nm to 3 nm from haulouts and rookeries in a
portion of Kanaga Sound east of 178[deg] W longitude. In Area 541, this
final rule prohibits directed fishing for pollock in critical habitat
from 0 nm to 3 nm from haulouts and 0 nm to 10 nm from rookeries.
Harvest Limits and Seasons
This final rule, in conjunction with existing regulations,
establishes harvest limits by sector, area, and season for the Atka
mackerel, Pacific cod, and pollock fisheries in the Aleutian Islands.
This subsection summarizes the harvest limits and seasons established
under this final rule. The preamble to the proposed rule describes the
harvest limits and seasons in greater detail (79 FR 37486, July 1,
2014).
Tables 1, 2, and 3 provide the 2015 estimates of biomass, the
overfishing levels (OFLs), the acceptable biological catches (ABCs)
from the 2015 harvest specifications (79 FR 12108, March 4, 2014), and
the harvest limit amounts for Atka mackerel, Pacific cod, and pollock
fisheries established under this final rule. Tables 1, 2, and 3 also
describe the allocations that are made to the Western Alaska Community
Development Quota (CDQ) Program as CDQ reserves, as well as allocations
made to accommodate incidental catch amounts (ICAs), and allocations to
other non-CDQ participants as applicable for the specific fishery from
the 2015 harvest specifications. The 2015 biomasses, OFLs, ABCs, TACs,
and harvest limit amounts are subject to change pending the completion
of the final 2014 Stock Assessment and Fishery Evaluation (SAFE) Report
and the Council's recommendations for final 2015 and 2016 harvest
specifications during its December 2014 meeting. NMFS will publish the
final harvest limits in the final 2015 and 2016 harvest specifications.
Table 1 provides the Atka mackerel harvest limits for 2015, based
on the 2015 ABC (79 FR 12108, March 4, 2014). In this final rule, Sec.
679.20(a)(8)(ii)(C) sets two Atka mackerel harvest limitations for
Areas 542 and 543. First, in Area 543, the annual TAC is limited to an
amount no greater than 65 percent of the ABC apportioned for Area 543.
The second limit would allow no more than 60 percent of the annual TAC,
evenly apportioned between the A and B seasons, to be harvested in
critical habitat west of 178[deg] W longitude. This area includes all
of Area 543 and the western portion of Area 542. Section
679.20(a)(8)(ii)(A) evenly divides the harvest of TAC between the A and
B seasons and applies the seasonal apportionment of Atka mackerel
harvests in Area 543, Area 542, and the combined Area 541/Bering Sea.
Section 679.23(e)(3)(ii) maintains the directed fishing for Atka
mackerel with trawl gear A season dates from January 20 through June
10, and extends the B season from June 10 through December 31. Prior to
this final rule, the Atka mackerel B season occurred from June 10
through November 1. This additional season length provides greater
opportunity for trawl gear harvesters to distribute catch throughout
the year. Section 679.20(a)(8)(ii)(D) prohibits any unharvested Atka
mackerel A season allowance that is added to the B season from being
harvested within waters 0 nm to 20 nm of Steller sea lion sites located
in Areas 543, 542, and 541. This provision ensures that harvest is not
concentrated within critical habitat during the B season.
[[Page 70290]]
Table 1--2015 Bering Sea and Aleutian Islands Atka Mackerel Biomass,
OFL, ABC, and TAC; Sector, Season, and Area Allocations; and Critical
Habitat Limits Under This Final Rule
[Amounts are in metric tons]
------------------------------------------------------------------------
------------------------------------------------------------------------
2015 Atka Mackerel Biomass, OFL, ABC, and TAC
------------------------------------------------------------------------
Biomass................................................. 387,308
OFL..................................................... 74,898
ABC..................................................... 64,477
TAC..................................................... 56,769
------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
Area 541/
Sector \1\ Season Bering Sea Area 542 Area 543
----------------------------------------------------------------------------------------------------------------
2015 Sector, Season, and Area Allocations and Critical Habitat Limits
----------------------------------------------------------------------------------------------------------------
Area ABC.............................. n/a..................... 21,769 20,685 22,023
Area TAC.............................. n/a..................... 21,769 20,685 14,315
----------------------------------------------------------------------------------------------------------------
CDQ reserve........................... Total................... 2,329 2,213 1,532
A season................ 1,165 1,107 766
Critical habitat limit.. n/a 664 460
B season................ 1,165 1,107 766
Critical habitat limit n/a 664 460
\3\.
----------------------------------------------------------------------------------------------------------------
ICA................................... Total................... 1,000 75 40
----------------------------------------------------------------------------------------------------------------
Jig \2\............................... Total................... 92 0 0
----------------------------------------------------------------------------------------------------------------
BSAI trawl limited access............. Total................... 1,835 1,840 0
A season................ 917 920 0
Critical habitat limit.. n/a 552 0
B season................ 917 920 0
Critical habitat limit n/a 552 0
\3\.
----------------------------------------------------------------------------------------------------------------
Amendment 80.......................... Total................... 16,513 16,557 12,743
----------------------------------------------------------------------------------------------------------------
Alaska Groundfish Cooperative for 2015 Total................... 8,958 9,938 7,854
A season................ 4,479 4,969 3,927
Critical habitat limit.. n/a 2,981 2,356
B season................ 4,479 4,969 3,927
Critical habitat limit n/a 2,981 2,356
\3\.
----------------------------------------------------------------------------------------------------------------
Alaska Seafood Cooperative for 2015... Total................... 7,555 6,619 4,889
A season................ 3,778 3,310 2,445
Critical habitat limit.. n/a 1,986 1,467
B season................ 3,778 3,309 2,444
Critical habitat limit n/a 1,985 1,466
\3\.
----------------------------------------------------------------------------------------------------------------
\1\ Section 679.20(a)(8)(ii) allocates the Atka mackerel TACs, after subtracting the Community Development Quota
(CDQ) reserves, jig gear allocation, and incidental catch allowances (ICAs) to the Amendment 80 and BSAI trawl
limited access sectors. The allocation of the TAC for Atka mackerel to the Amendment 80 and BSAI trawl limited
access sectors is established in Table 33 to part 679 and Sec. 679.91. The CDQ reserve is 10.7 percent of
the TAC for use by CDQ participants (see Sec. Sec. 679.20(b)(1)(ii)(C) and 679.31).
\2\ Section 679.20(a)(8)(i) requires that up to 2 percent of the Eastern Aleutian District and the Bering Sea
subarea TAC be allocated to jig gear after subtracting the CDQ reserve and ICA. Under the final 2015 harvest
specifications, this allocation is 0.5 percent. The jig gear allocation is not apportioned by season.
\3\ Any unharvested Atka mackerel A season allowance that is added to the B season is prohibited from being
harvested within waters 0 nm to 20 nm of Steller sea lion sites listed in Table 6 to this part and located in
Areas 541, 542, and 543.
Note: Seasonal or sector apportionments may not total precisely due to rounding.
In this final rule, Sec. 679.20(a)(7)(vii) sets a Pacific cod
harvest limit based on abundance in Area 543 as determined by the
annual stock assessment process. NMFS will first subtract the State
Pacific cod Guideline Harvest Level (GHL) amount from the Aleutian
Islands Pacific cod ABC, then NMFS will determine the harvest limit in
Area 543 by multiplying the percentage of Pacific cod estimated in Area
543 by the remaining ABC for Aleutian Islands Pacific cod. The State
sets the Pacific cod GHL at 3 percent of the sum of the Aleutian
Islands and the Bering Sea Pacific cod ABCs. Table 2 provides the
proposed 2015 Aleutian Islands Pacific cod biomass, OFL, ABC, TAC, GHL,
the sector allocations under the 2015 harvest specifications, and the
Area 543 harvest limit under this final rule. The Area 543 harvest
limit is based on an estimate of Pacific cod abundance for Area 543
from the 2013 stock assessment for Aleutian Islands Pacific cod.
In this final rule, Sec. 679.23(e)(5)(ii)(C)(2) extends the
Pacific cod trawl gear C season from November 1 to December 31 for
Amendment 80 and Community Development Quota CDQ trawl vessels. Prior
to this final rule, the Pacific cod trawl gear C season occurred from
June 10 through November 1. This additional season length provides
greater opportunity for trawl gear harvesters to distribute catch
throughout the year.
[[Page 70291]]
Table 2--2015 Aleutian Islands Pacific Cod Biomass, OFL, ABC, TAC, GHL,
Sector Allocations, and the Area 543 Harvest Limit Under This Final Rule
[Amounts are in metric tons]
------------------------------------------------------------------------
------------------------------------------------------------------------
2015 Aleutian Islands Pacific Cod Biomass, OFL, ABC, TAC, and GHL
------------------------------------------------------------------------
Biomass...................................................... 58,911
OFL.......................................................... 20,100
ABC.......................................................... 15,100
TAC.......................................................... 6,487
GHL.......................................................... 8,613
------------------------------------------------------------------------
------------------------------------------------------------------------
Harvest
Sector limit
------------------------------------------------------------------------
2015 Sector and Area Allocations
------------------------------------------------------------------------
CDQ portion of the TAC....................................... 694
Non-CDQ allocations.......................................... 5,793
Area 543 harvest limit....................................... 1,609
------------------------------------------------------------------------
In this final rule, Sec. 679.20(a)(5)(iii)(B)(6) sets harvest
limits for pollock in the A season (January 20 to June 10) and the B
season (June 10 to November 1) in Areas 543, 542, and 541. In Area 543,
the A season pollock harvest limit is no more than 5 percent of the
Aleutian Islands pollock ABC. In Area 542, the A season pollock harvest
limit is no more than 15 percent of the Aleutian Islands ABC. In Area
541, the A season pollock harvest limit is no more than 30 percent of
the Aleutian Islands ABC. These limits apply to all harvests; this
includes harvests by the Aleut Corporation, CDQ groups, and the
incidental catch of pollock in all other groundfish fisheries. These
harvest limits would ensure the harvest of pollock is constrained in
the winter when pollock harvests are most likely to occur and when
pollock appears to be an important part of the Steller sea lion diet
(Section 5.3.3 in 2014 BiOp).
Table 3 provides estimates of the 2015 Aleutian Islands pollock
biomass, OFL, ABC, TAC under the 2015 harvest specifications, and area
specific harvest limits under this final rule. NMFS notes that the
maximum TAC in the Aleutian Islands pollock fishery is constrained by
statutory and regulatory provisions that limit the maximum Aleutian
Islands pollock TAC to 19,000 metric tons (see regulations at Sec.
679.20(a)(5)(iii)).
Table 3--2015 Aleutian Islands Pollock Biomass, OFL, ABC, and TAC;
Sector and Season Allocations; and the A Season Harvest Limits, by Area,
Under This Final Rule
[Amounts are in metric tons]
------------------------------------------------------------------------
------------------------------------------------------------------------
2015 Aleutian Islands Biomass, OFL, ABC, and TAC
------------------------------------------------------------------------
Biomass................................................. 289,307
OFL..................................................... 47,713
ABC..................................................... 39,412
TAC..................................................... \1\ 19,000
------------------------------------------------------------------------
----------------------------------------------------------------------------------------------------------------
2015 Aleutian Islands Sector, Season, and Area Allocations
----------------------------------------------------------------------------------------------------------------
Sector \2\ Seasons \4\ Area 541 Area 542 Area 543
----------------------------------------------------------------------------------------------------------------
Harvest Limits \3\............ A season 11,824 5,912 1,971
----------------------------------------------------------------------------------------------------------------
CDQ Directed Fishing Allowance Total........... 1,900
A season........ 760 n/a
B season........ 1,140
----------------------------------------------------------------------------------------------------------------
ICA........................... Total........... 2,000
A season........ 1,000 n/a
B season........ 1,000
----------------------------------------------------------------------------------------------------------------
Aleut Corporation............. Total........... 15,100
A season........ 14,005 n/a
B season........ 1,095
----------------------------------------------------------------------------------------------------------------
\1\ Statutory and regulatory provisions limit the maximum Aleutian Islands pollock TAC to 19,000 mt (see
regulations at Sec. 679.20(a)(5)(iii)).
\2\ Pursuant to Sec. 679.20(a)(5)(iii)(B)(2)(i) and (ii), the annual Aleutian Islands pollock TAC, after
subtracting first for the CDQ directed fishing allowance (10 percent) and second the ICA (2,000 mt), is
allocated to the Aleut Corporation for a directed pollock fishery.
\3\ Note that although the area specific harvest limits total to more than 19,000 mt, the TAC constrains total
harvests in the Aleutian Islands. NMFS will prohibit fishing if the TAC is reached in the Aleutian Islands
even if some amount is unharvested within an area specific harvest limit.
\4\ Section 679.20(a)(5)(iii)(B)(3)(i) limits the harvest of Aleutian Islands pollock in the A season to no more
than 40 percent of the ABC. This harvest includes the directed pollock fishery, CDQ directed fishing
allowance, and the ICA. To establish the A season directed pollock fishery allocation within the seasonal
limit, NMFS determines the amount of ICA that will be necessary to support other groundfish fisheries during
the A season.
Summary of Regulation Changes
NMFS made three changes to the final rule. One change is in
response to public comment, and one change is a technical correction.
The third change revises 15 CFR 902.1(b) to reflect revisions to
recordkeeping and reporting requirements.
First, NMFS added the term ``C season'' to Sec. 679.20(a)(7)(v)(B)
to correct an inadvertent omission. This regulatory correction has no
impact on the Steller sea lion protection measures but provides an
accurate description of existing Pacific cod seasons. Additional
discussion of this change is in Comment 7 included under Response to
Public Comments, below.
Second, NMFS revised Sec. 679.20(a)(7)(vii) to more accurately
describe the process for setting the Pacific cod harvest limit for Area
543. The proposed rule at Sec. 679.20(a)(7)(vii) said that NMFS would
adjust the ABC by deducting the State guideline harvest level (GHL).
This is not the case, as NMFS does not adjust the ABC. NMFS modified
this paragraph to explain that NMFS will first subtract the State GHL
Pacific cod amount from the Aleutian
[[Page 70292]]
Islands Pacific cod ABC. Then NMFS will determine the harvest limit in
Area 543 by multiplying the percentage of Pacific cod estimated in Area
543 by the remaining ABC for Aleutian Islands Pacific cod. This
correction clarifies a procedure but does not change the intended
process for setting the Pacific cod harvest limitation and has no
impact on the Steller sea lion protection measures.
Third, this final rule revises and adds data elements within a
collection-of-information for recordkeeping and reporting requirements;
therefore 15 CFR 902.1(b) is revised to correctly reference the
sections resulting from this final rule. 15 CFR 902.1(b) identifies the
location of NOAA regulations for which Office of Management and Budget
(OMB) approval numbers have been issued. Section 3507(c)(B)(i) of the
Paperwork Reduction Act requires that agencies inventory and display a
current control number assigned by the Director of the OMB for each
agency information collection.
Response to Public Comments
The comment period on the proposed rule ended on August 15, 2014
(79 FR 37486). NMFS received 17 letters during the proposed rule
comment period. NMFS released the final EIS on May 23, 2014 (79 FR
29759). NMFS received two letters of public comment on the final EIS.
The 19 letters received contained 59 unique comments. All of the
comment letters received are posted on https://www.regulations.gov,
search term NOAA-NMFS-2012-0013.
Although NMFS is not required to respond to comments received as a
result of issuance of the final EIS, NMFS decided to provide responses
as part of the decision-making process. Due to the overlap of issues,
NMFS summarizes and responds to the comments received on the final EIS
and the comments on the proposed rule in this final rule preamble.
In many of the letters, members of the public also made comments on
the 2014 BiOp. NMFS responds to comments on the 2014 BiOp that are
related to the proposed rule and EIS. However, comments on the 2014
BiOp that are not related to the proposed rule or EIS are not addressed
further in this preamble. NMFS notes that this final rule does not
implement the 2014 BiOp, and the 2014 BiOp is not subject to notice-
and-comment rulemaking requiring a response in this final rule. All
letters were provided to NMFS PRD for their review. NMFS PRD and NMFS
SFD did not identify any new information provided in public comments
that would require NMFS SFD to reinitiate ESA section 7 consultation.
The triggers for reinitiating consultation are provided at 50 CFR
402.16.
Comments on Fishery Management Measures
Comment 1: The proposed rule continues to reduce the Atka mackerel
TAC, restrict catch in Steller sea lion critical habitat, and spread
the catch out temporally and spatially. Further, the majority of
Steller sea lion critical habitat remains closed for Atka mackerel in
the Aleutian Islands: 76 percent of critical habitat in Area 543; 93
percent in Area 542; and almost all of Area 541 except a small area
southeast of Seguam Pass. These measures will reduce the operational
efficiency of harvesters fishing under the provisions of the Amendment
80 Program. This is particularly true given current low permissible
harvest levels, even if allowed catches are managed cooperatively among
participants in the Amendment 80 Program.
Response: NMFS acknowledges the comment. Amendment 80 to the FMP
identified participants using trawl catcher/processors in the BSAI
active in groundfish fisheries other than Bering Sea pollock (i.e., the
head-and-gut fleet or Amendment 80 vessels) and established a
framework, known as the Amendment 80 Program, to regulate fishing by
this fleet (72 FR 52668, September 14, 2007). The Amendment 80 Program
created Amendment 80 quota share based on the historic catch of quota
share species by Amendment 80 vessels, facilitated the development of
cooperative arrangements (Amendment 80 cooperatives) among quota
shareholders, and assigned an exclusive harvest privilege for a portion
of the TAC of quota share species for participants in Amendment 80
cooperatives. Chapter 8 of the EIS describes the factors affecting the
operational efficiency of vessels in the Amendment 80 Program under
this action.
Comment 2: The development of the Atka mackerel management measures
by the Council's Steller Sea Lion Mitigation Committee was guided in
large measure by the results of NMFS Fishery Interaction Team studies.
The Atka mackerel management measures implemented by this action are
intended to meet the goal of reducing the possibility of competition.
These Atka mackerel management measures are responsive to the best
available information and to the performance standards of the 2010 FMP
BiOp (see ADDRESSES). The 2014 BiOp provides a relevant context for
evaluating the exposure of Steller sea lions to potential constraining
competition between the fishery and Steller sea lions. Roughly 90
percent of the time during a year there will be only 1 or 2 vessels
fishing Atka mackerel within a given management area (e.g., Area 542).
With the removal of the ``platoon system'' under this action, the Atka
mackerel fishery will be highly dispersed in time and space.
Response: NMFS acknowledges the comment. Chapter 8 of the EIS
describes the operations of vessels fishing for Atka mackerel under
this action. Note that the ``platoon system'' is also called the Atka
Mackerel Harvest Limit Area (HLA) fishery. The 2010 Interim Final Rule
removed the HLA fishery and this final rule maintains that removal. See
the proposed rule preamble for a more detailed discussion of the HLA
fishery and the reason for its removal (79 FR 37499).
Comment 3: Strike the term ``Area 541'' from the proposed rule at
Sec. 679.20(a)(8)(ii)(D) where it reads, ``Any unharvested Atka
mackerel A season allowance that is added to the B season is prohibited
from being harvested within waters 0 nm to 20 nm of Steller sea lion
sites listed in Table 6 to this part and located in Areas 541, 542, and
543.'' Any unused A season Atka mackerel should roll to B season and be
available throughout the area open to fishing within Area 541. This
will allow the fleet to disperse effort as was envisioned under this
action. This change in regulation is also supported by NMFS research
that showed little exchange of Atka mackerel inside and outside of
areas 12 nm from shore within Area 541.
Response: The regulations at Sec. 679.20(a)(8)(ii)(D) are correct
and NMFS made no changes to regulations in response to this comment.
NMFS intended to prohibit the harvest of Atka mackerel TAC rolled over
from the A season inside critical habitat in the B season in Areas 541,
542, and 543. This prohibition preserves the intent of the existing
seasonal apportionment of Atka mackerel TAC, which is to temporally
disperse harvest. Currently, in each management area, 50 percent of the
TAC is assigned to the A season and 50 percent to the B season, see
Sec. 679.20(a)(8)(ii)(C)(1)(ii). Also, the ability to roll over unused
TAC from the A season to the B season is limited under Sec.
679.20(a)(8)(ii)(D). As explained in the preamble to the proposed rule,
the purpose of this provision is to limit the amount of harvest that
could occur in critical habitat to further protect Atka mackerel prey
resources for Steller sea lions inside critical habitat (79 FR 37500).
Unharvested Atka mackerel
[[Page 70293]]
TAC from the A season can be harvested in the B season outside of
critical habitat. This provision also provides for greater spatial
dispersion of harvest away from Steller sea lion critical habitat.
Comment 4: The proposed rule would restore some productive fishing
grounds in the Aleutian Islands and remove the no-retention regulations
for the Pacific cod fishery in Area 543. These measures provide some
reduction in the impacts of Steller sea lion protection measures to the
Pacific cod fishery relative to the 2010 Interim Final Rule. However,
the amount of TAC available to the Pacific cod fishery in the Aleutian
Islands will be only a small fraction of what was available and what
was harvested prior to 2011 because of the decision to separate BSAI
Pacific cod into separate stocks with separate OFLs, ABCs, and TACs.
With the adoption of separate Pacific cod TACs for the Aleutian Islands
and Bering Sea, the new measures provide much better protection of the
Pacific cod resource at the global scale than did the 2010 FMP BiOp RPA
implemented in the 2010 Interim Final Rule.
Response: NMFS acknowledges the comment. Chapter 8 of the EIS
describes the management of the Pacific cod fishery under this action.
Comment 5: NMFS could alleviate the concern over the concentration
of Pacific cod harvest in Area 543 and 542 by including re-consultation
triggers in the final rule similar to the re-consultation triggers NMFS
included in the 2010 Interim Final Rule that established non-trawl and
trawl sector guideline harvest limits for Pacific cod by area. NMFS
should consider re-consultation triggers as non-regulatory guideline
harvest levels distinct for trawl and non-trawl sectors Pacific cod
harvest in Areas 543 and 542 (and possibly 541). These re-consultation
triggers could serve as an interim measure to address immediate
concerns until superseded by Council action. Re-consultation triggers
would ensure less concentration of harvest in these areas due to
greater temporal dispersion of harvest by vessels using fixed gear,
which is more temporally dispersed than harvest by vessels using trawl
gear. Re-consultation triggers would also ensure harvest by non-trawl
gear, which fishes at a slower rate than trawl gear and is less likely
to contribute to localized depletion.
Response: NMFS included triggers for reinitiation of the section 7
consultation for Pacific cod harvest in Areas 541 and 542 as part of
the RPA in the 2010 FMP BiOp. The Pacific cod ABC and TAC were
specified as a combined BSAI ABC and TAC under the proposed action
analyzed in the 2010 FMP BiOp. Because there were no limits on the
amount of the BSAI Pacific cod TAC that could be caught in Areas 541
and 542, the RPA contained triggers to cue NMFS and the public that
reinitiation of section 7 consultation should occur if fishing exceeded
historical catch amounts in these management areas. NMFS considered
these triggers important because the RPA and its implementing 2010
Interim Final Rule also closed Area 543 to directed fishing and
prohibited retention of Pacific cod. With the closure of Area 543 to
directed fishing and retention of Pacific cod prohibited under the 2010
Interim Final Rule, NMFS was concerned that harvest displaced from Area
543 would cause an increase in harvest in Areas 542 and 541. NMFS
included a discussion of these triggers from the 2010 FMP BiOp in the
preamble to the 2010 Interim Final Rule; however, as explained in that
preamble, NMFS did not include these triggers in the implementing
regulations (75 FR 77541).
The 2014 BiOp did not recommend reinitiation triggers for the
Pacific cod fishery because the nature of the Pacific cod fishery and
harvest limits have changed since the 2010 FMP BiOp. As of 2014,
Pacific cod OFLs, ABCs, and TACs are specified separately for the
eastern Bering Sea and Aleutian Islands. The amount of Pacific cod
catch in the Aleutian Islands is expected to be substantially reduced
relative to prior years when the OFL, ABC, and TAC were combined for
the BSAI. Therefore, the potential for a shift of a substantial amount
of fishing effort from one area of the Aleutian Islands to another does
not exist under this action.
The reinitiation notice in Section 10.0 of the 2014 BiOp stated
that formal consultation may be required if the Aleutian Islands
Pacific cod harvest is concentrated in Areas 542 or 543, as this would
reflect a pattern not seen in the historical fishery data. The EIS and
the 2014 BiOp anticipated that a larger proportion of the Aleutian
Islands Pacific cod TAC is likely to be harvested by trawl gear rather
than by non-trawl gear and the Council did not recommend harvest
limits.
Comment 6: Make two changes to the regulations: (1) Apportion the
Aleutian Islands Pacific cod TAC between fixed gear and trawl gear for
Areas 543, 542, and 541; and (2) apportion the Aleutian Islands Pacific
cod TAC between the A and B seasons for Areas 543, 542, and 541.
Without these changes, the proposed rule, in conjunction with separate
management of Aleutian Islands Pacific cod and increasing State of
Alaska GHL Pacific cod fishery, could reduce fixed gear harvest
opportunity in the Aleutian Islands and increase the proportion of
trawl harvest of Pacific cod. The lack of an Aleutian Islands Pacific
cod TAC apportionment between fixed gear and trawl gear for Areas 543,
542, and 541 will result in a decreased proportion of fixed-gear
Pacific cod harvest in the Aleutian Islands and an increased proportion
of trawl Pacific cod harvest in the Aleutian Islands. This means more
Pacific cod harvest in the Aleutian Islands will be harvested by trawl
gear that is more temporally compressed (February and March), fishes at
a higher rate (than fixed gear), and is more likely to cause localized
depletion. This is inconsistent with the stated intent of the proposed
rule.
Response: This final rule implements measures necessary to protect
Steller sea lion prey. The changes proposed by the commenter to
apportion the Aleutian Islands Pacific cod TAC between fixed gear and
trawl gear and between the A and B seasons are not Steller sea lion
protection measures. Apportioning the Aleutian Islands Pacific cod TAC
between fixed gear and trawl gear and between the A and B season would
require a separate regulatory amendment. NMFS cannot add this provision
or an interim measure to the final rule because it not been considered,
analyzed, or made available for public comment. The Council could
consider and analyze this proposal and make a recommendation to NMFS
for a future regulatory amendment.
A separate Aleutian Islands Pacific cod TAC was established
starting in 2014 that resulted in a substantial reduction in the
Pacific cod available for harvest in the Aleutian Islands. The Council
and NMFS were aware of the impact of the Aleutian Islands Pacific cod
TAC on the fixed gear fleet's harvest opportunities when the Council
took action to split the Pacific cod TAC. With the Aleutian Islands
Pacific cod TAC, it is likely that trawl vessels will be able to fully
harvest this limited TAC before the Pacific cod are available for
harvest by fixed gear vessels.
The EIS analyzed the impacts of the proposed action and its
alternatives with the understanding that a separate Pacific cod TAC
would be implemented in 2014 (see Chapter 5 of the EIS). The 2014 BiOp
acknowledged the impacts of the Pacific cod TAC split, including the
fact that the trawl fishery would harvest the TAC, when it analyzed the
proposed suite of Steller sea lion protection measures and found that
the implementation of this final rule was not likely to jeopardize the
continued existence of Steller sea lions and was
[[Page 70294]]
not likely to destroy or adversely modify designated Steller sea lion
critical habitat. Therefore, the final rule is consistent with the
stated intent for this action.
Comment 7: The proposed regulatory text at Sec. 679.20(a)(7)(v)(B)
states, ``Harvest of seasonal apportionments in the Amendment 80
limited access fishery. (1) Pacific cod ITAC assigned for harvest by
the Amendment 80 limited access fishery in the A season may be
harvested in the B seasons.'' This mistakenly omits a reference to the
C season contained in paragraph (a)(7)(v)(A) that states, ``Use of
seasonal apportionments by Amendment 80 cooperatives. (1) The amount of
Pacific cod listed on a CQ permit that is assigned for use in the A
season may be used in the B or C season.'' We believe this was an
inadvertent omission and the words ``or C'' belong in paragraph
(a)(7)(v)(B)(1) so that it would read: ``Pacific cod ITAC assigned for
the harvest by the Amendment 80 limited access fishery in the A season
may be harvested in the B or C seasons.''
Response: NMFS agrees that this was a typographical error and has
made the change to the final rule Sec. 679.20(a)(7)(v)(B) to correct
this inadvertent omission. Section 679.20(a)(7)(v)(B) now reads,
``Harvest of seasonal apportionments in the Amendment 80 limited access
fishery. (1) Pacific cod ITAC assigned for harvest by the Amendment 80
limited access fishery in the A season may be harvested in the B or C
seasons.'' The changes NMFS made to Sec. 679.20(a)(7)(v) are discussed
in the preamble to the proposed rule (79 FR 37502). This regulatory
correction has no impact on the Steller sea lion protection measures.
Comment 8: The management measures put forward in the proposed rule
are, on the whole, a significant improvement over the measures that are
currently in place from the 2010 Interim Final Rule, particularly in
regards to the re-opening of Area 543 to Pacific cod fishing. The new
measures are more consistent with the best available science on the
impacts of groundfish fisheries on the Steller sea lions and reflect
management measures developed and supported by the Council and its
Steller Sea Lion Mitigation Committee.
Response: NMFS acknowledges the comment.
Comment 9: The Pacific cod fishery has been the primary basis of
seafood processing in Adak and a mainstay of the local economy. Re-
opening portions of critical habitat to fishing will provide more
spatial dispersion of the fishery. Setting a separate TAC for Aleutian
Islands Pacific cod is a precautionary measure that will protect the
long term productivity of the Pacific cod stock. While these measures
will result in less Pacific cod being available in the Aleutian Islands
in the short run, the more conservative management of Aleutian Islands
Pacific cod could provide the community of Adak with a more stable
resource base in the long run.
Response: NMFS acknowledges the comment and notes that this final
rule is intended to spatially disperse the Pacific cod fishery.
Comment 10: Prior to the 2014 BiOp, no analysis of a commercial
pollock fishery in the Aleutian Islands had been undertaken since
Congress allocated pollock to the Aleut Corporation in 2004. The 2014
BiOp takes the first hard look at the spatial distribution of the
historic Aleutian Island pollock fishery in comparison to the telemetry
data on Steller sea lion foraging locations. It also compares Steller
sea lion dive profiles with pollock fishing depths. In both cases the
2014 BiOp finds the least overlap of any of the three prey species.
Additionally, scat data presented in the 2010 FMP BiOp showed Aleutian
Islands pollock had the lowest frequency of occurrence in Steller sea
lion scat of the three prey species of concern.
The statutory and regulatory provisions that limit the maximum
amount of pollock TAC that may be harvested in the Aleutian Islands
means that the pollock TAC in 2015 would be less than 50 percent of the
Aleutian Islands pollock ABC. The commenter notes that Aleutian Islands
pollock harvest is likely to be significantly less than the TAC because
allocations provided to CDQ groups (i.e., 10 percent of the Aleutian
Islands TAC) may be harvested in the Bering Sea, and regulations
allocate 50 percent of the TAC remaining after allocation to CDQ groups
to vessels less than 60 feet in length overall. These smaller vessels
will have difficulty harvesting their pollock allocations due to the
greater depths at which pollock is found in the Aleutian Islands and
the more limited fishing capabilities of smaller vessels to harvest
pollock at depth given the necessary horsepower and gear requirements.
Response: NMFS agrees that the Aleutian Islands pollock TAC is
likely to be substantially below the Aleutian Islands pollock ABC in
the foreseeable future because existing statutory and regulatory
provisions limit the maximum Aleutian Islands pollock TAC to 19,000 mt
(see regulations at Sec. 679.20(a)(5)(iii) and Table 3 in this
preamble). NMFS notes that although catch of Aleutian Islands pollock
may be less than the TAC for the reasons stated by the commenter, NMFS
does not have specific information indicating that catch will be
consistently below the Aleutian Islands TAC in future years. The EIS
and the 2014 BiOp assumed that pollock catch in the Aleutian Islands
would equal the TAC for purposes of analyzing the effects of this
action.
Comment 11: The proposed rule to allow pollock fishing in some
portions of critical habitat will finally realize Congress' intent of
providing for economic development for Adak in the 2004 legislation
allocating Aleutian Islands pollock to the Aleut Corporation.
Response: NMFS acknowledges the comment.
Comment 12: Reduce the TAC for the Bering Sea Aleutian Islands
pollock fishery by 50 percent because it may be a cause in the Steller
sea lion population decline. One of the Steller sea lion's primary food
sources is pollock. Not having a stable food supply forces the Steller
sea lions to travel farther and compete with other marine animals for
different food resources. Local residents are wondering why there are
more frequent Steller sea lion sightings in areas of the Bering Sea
that were previously uninhabited by sea lions.
Response: NMFS manages pollock in the Aleutian Islands separately
from the Bering Sea. This action changes management of the Aleutian
Islands pollock fishery, as detailed in this preamble. The Aleutian
Islands pollock TAC is greatly reduced from the ABC due to a number of
factors described in Comment 10 and shown in Table 3 in this preamble.
The Bering Sea pollock fishery is outside the scope of this action.
The 2010 FMP BiOp analyzed the impacts of the Bering Sea pollock
fishery on Steller sea lions and concluded that the management measures
currently in place, including the management measures for the Bering
Sea pollock fishery, are not likely to jeopardize the continued
existence of Steller sea lions or destroy or adversely modify their
designated critical habitat. The 2014 BiOp concluded management
measures in this action for the Aleutian Islands pollock fishery are
not likely to jeopardize the continued existence of Steller sea lions
or destroy or adversely modify their designated critical habitat.
A wide range of factors can affect the distribution of Steller sea
lions (see Chapter 5 of the EIS for additional details on Steller sea
lion distribution). The occurrence of Steller sea lions at a
[[Page 70295]]
location not previously observed may be due to reasons other than the
lack of adequate prey resources in other locations.
Comments on Steller Sea Lion Issues
Comment 13: The proposed rule preamble fails to include any
information regarding the current total population status of Steller
sea lions. The status of the Steller sea lion population should be
included in the preamble to the rule to give context to the proposed
management measures. The proposed rule is for management measures to
protect Steller sea lions, but the rule provides no information on the
total population status.
Response: A complete description of the status of the Steller sea
lion population is provided in Section 5.1.1 of the EIS and Section 3.3
of the 2014 BiOp. The WDPS of Steller sea lions is distributed from
Prince William Sound through the Aleutian Islands in Alaska and in
Russia on the Kamchatka peninsula, Kuril Islands, and the Sea of
Okhotsk. The 2008 Recovery Plan (see ADDRESSES) uses the population
trend in non-pups to gauge the species' status.
In 2012, the estimated abundance of the entire WDPS of Steller sea
lions (pups and non-pups, United States and Russia/Asia) was 79,300 sea
lions (see Section 3.3.1 of the 2014 BiOp). Abundance of the United
States portion of the population is estimated at 52,200 animals based
on data from 2012. Steller sea lion abundance in the Russian portion of
the population is estimated at 27,100 animals based on data collected
through 2012.
There is evidence that Steller sea lion non-pup counts in Alaska
increased at an average rate of 1.67 percent per year between 2000 and
2012. Because the United States portion of the range occurs exclusively
within Alaska, reference to the United States portion of the Steller
sea lion population is synonymous with the Alaska portion of the
Steller sea lion population. However, there are strong differences in
trends across the range of Steller sea lions in Alaska. There is strong
evidence of a positive trend (2.89 percent per year) east of Samalga
Pass and strong evidence of a continued decline (-1.53 percent per
year) west of Samalga Pass.
NMFS uses six sub-regions within Alaska for trend and status
monitoring of Steller sea lions. These sub-regions include the eastern
GOA, central GOA, and western GOA, the eastern Aleutian Islands/Bering
Sea, central Aleutian Islands, and the western Aleutian Islands. A
seventh sub-region (i.e., Russia/Asia) is located outside the United
States and is commonly referred to as the Russian sub-region because
most of the Steller sea lion population in that sub-region is
concentrated in Russia. NMFS receives information on the trend and
status of Steller sea lions in this sub-region from its counterparts in
Russia and Japan.
Non-pup counts increased at a significant rate from 2000 through
2012 in the eastern GOA, the western GOA, and the eastern Aleutian
Islands. Non-pup counts increased at a non-significant rate from 2000
through 2012 in the central GOA. Counts of non-pups decreased at a
significant rate in the western Aleutian Islands and at a non-
significant rate in the central Aleutian Islands from 2000 through
2012.
The Russian sub-region of Steller sea lions is estimated to have
increased from 13,000 sea lions in the 1990s to 16,000 by 2005. Data
collected through 2012 indicate that overall Steller sea lion abundance
in the Russian sub-region continues to increase and is now similar to
the 1960s (27,100). Between 1995 and 2012, pup production increased
overall in the Russian sub-region by 3.1 percent per year. However,
just as in the United States portion of the range, there are
significant regional differences in Steller sea lion population trends
in the Russian sub-region (see the EIS Chapter 5 and 2014 BiOp for full
details).
Comment 14: Given the robust increase in the total United States
population of Steller sea lions, the removal of some of the Steller sea
lions protection measures in the 2010 Interim Final Rule is warranted.
Additionally, this population increase, combined with the fact there is
no evidence supporting the nutritional stress hypothesis (i.e., that
fisheries are removing key Steller sea lion prey species in a way that
diminishes resources for Steller sea lions), is grounds for the removal
of additional undue restrictions on the BSAI groundfish fisheries.
Response: NMFS acknowledges the comment; however, the changes made
to Steller sea lion protection measures are based on the best available
scientific information and not those stated in the comment.
Comment 15: The 2014 BiOp fails to provide a sound, scientific
basis for concluding no jeopardy or adverse modification and,
therefore, it does not provide an objective foundation for the proposed
rule. The 2014 BiOp analysis on which the proposed rule is based is
flawed to such an extent that it should be set aside, the proposed rule
withdrawn, and the consultation re-initiated.
Response: NMFS based this rule on the preferred alternative
recommended by the Council. See response to Comment 16.
The 2014 BiOp considered the effects of two proposed actions: The
modified Steller sea lion protection measures in the Aleutian Islands
Federal groundfish fisheries and State of Alaska parallel groundfish
fisheries for Atka mackerel, Pacific cod, and pollock (the action
implemented through this final rule); and research to better understand
the potential effects of these fisheries on Steller sea lions. As
required by the regulations codified at 50 CFR 402.14, the 2014 BiOp
includes a summary of the information on which the opinion is based, a
detailed discussion of the effects of the action on the listed Steller
sea lions and designated critical habitat, and NMFS' opinion that the
action is not likely to jeopardize the continued existence of the WDPS
of Steller sea lions or destroy or adversely modify their designated
critical habitat. NMFS based its opinion in the 2014 BiOp on the best
scientific and commercial data available as required by 50 CFR 402.14.
Please see the 2014 BiOp for additional detail (see ADDRESSES).
Comment 16: The proposed rule is premised on the unprecedented
finding from the 2014 BiOp that the preponderance of available data
does not support a conclusion that the groundfish fisheries and
groundfish abundance are limiting Steller sea lion population growth
rates.
Response: These implementing regulations are premised on the
information available to the Council, its Steller Sea Lion Mitigation
Committee, and NMFS throughout the development of this action. When it
recommended the suite of Steller sea lion protection measures
implemented in this final rule, the Council reviewed all of the
information available, including the 2010 FMP BiOp, the Center for
Independent Experts' review of the 2010 BiOp, as well as the external
review commissioned by the States of Alaska and Washington, the EIS
analysis, and public comments.
NMFS then conducted an ESA section 7 consultation on the Council's
recommended proposed action and issued the 2014 BiOp. The 2014 BiOp
concluded that the proposed action is not likely to jeopardize the
continued existence of the WDPS of Steller sea lions or destroy or
adversely modify their critical habitat. The 2014 BiOp also explains
that NMFS maintains that a cautionary approach to fishing for prey
species in Steller sea lion critical habitat is warranted, especially
in winter when NMFS has the least information about prey biomass, and
that catch should be dispersed in time
[[Page 70296]]
and space to prevent localized depletion--at least until such time as
NMFS has better local biomass and exploitation rate estimates (see the
2014 BiOp, page 227). Consistent with that recommendation, the Steller
sea lion protection measures implemented in this final rule dispersed
fishing in time and space to prevent localized depletion of prey
species.
Comment 17: While measures other than those currently in place
conceivably might satisfy NMFS' obligations under the ESA, the
available scientific information about the fisheries and Steller sea
lions does not justify new measures that simply allow more fishing
without a coincident increase in other protections. Alternative 5 is
arbitrary because it is based on the 2014 BiOp.
Response: Alternative 5 (the preferred alternative implemented in
the final rule) was not based on the 2014 BiOp. NMFS worked with the
Council and its Steller Sea Lion Mitigation Committee to identify the
reasonable range of alternatives for analysis in the EIS. In developing
the alternatives, the Steller Sea Lion Mitigation Committee and Council
considered the 2010 FMP BiOp, external reviews of 2010 FMP BiOp, the
draft EIS, public comments, and NMFS' response to public comments
received on the draft EIS. Based on this information, the Council
determined that the available scientific information about the
fisheries and Steller sea lions supports alternative Steller sea lion
protection measures to those in the 2010 Interim Final Rule. The
Council then recommended Alternative 5 as the preferred alternative
based on the analysis in the draft EIS, public comments, and the best
available scientific information.
In the 2014 BiOp, NMFS analyzed the effects of Alternative 5 after
it was recommended by the Council. NMFS conducted the ESA section 7
consultation on Alternative 5 prior to releasing the final EIS and
commencing rulemaking. The 2014 BiOp found that the implementation of
Alternative 5 was not likely to jeopardize the continued existence of
the WDPS of Steller sea lions and was not likely to destroy or
adversely modify designated Steller sea lion critical habitat. The
conclusions in the 2014 BiOp were reached after considering the best
scientific and commercial information available, including Steller sea
lion behavior and fisheries data.
Comment 18: The 2010 FMP BiOp remains valid and, for precisely this
reason, both the proposed rule and 2014 BiOp must be abandoned. The
proposed rule simply cannot be reconciled with the 2010 FMP BiOp--as
the proposed rule would repeal the very Steller sea lion protection
measures instituted as the 2010 RPA. Because the 2010 FMP BiOp reflects
a credible and consistent analysis of the best available science, the
status quo protection measures for Steller sea lions adopted as a
consequence of that analysis and reflected in the 2010 Interim Final
Rule must be at least maintained--if not strengthened.
Response: The connection between the 2010 FMP BiOp and the 2014
BiOp on the Alaska groundfish fisheries is explained in Section 1.0 of
the 2014 BiOp. The 2014 BiOp did not entirely replace the previous 2010
FMP BiOp. The analysis contained in the 2010 FMP BiOp remains valid and
meets NMFS' requirement to consult at the FMP level.
NMFS did a project-level, focused consultation on the proposed
action to modify Steller sea lion protection measures in the Aleutian
Islands. The 2014 BiOp is the result of that consultation. The 2014
BiOp considered a different proposed action than the 2010 FMP BiOp,
namely the proposed changes to the Aleutian Islands Pacific cod, Atka
mackerel, and pollock fisheries; scientific research on these fisheries
and other changes to the fishery management structure since 2010; and
new information available subsequent to completion of the 2010 FMP
BiOp. The proposed action to modify Steller sea lion protection
measures replaces the RPA in the 2010 FMP BiOp, which was implemented
as the 2010 Interim Final Rule. Based on an analysis of the proposed
action and the new information, the 2014 BiOp concludes that the
proposed action is not likely to jeopardize the continued existence of
Steller sea lions or destroy or adversely modify their designated
critical habitat.
Comment 19: The proposed rule violates NMFS' ESA obligation to
avoid jeopardizing the prospects of Steller sea lions for recovery and
is inconsistent with the 2008 Recovery Plan (see ADDRESSES). The best
available science, reflected in the 2008 Recovery Plan, indicates that
a large sub-regional population decline constitutes a threat to the
prospect of recovery for Steller sea lions as a whole. NMFS is
proposing to allow additional fishing within the designated critical
habitat for the western and central Aleutian sub-regions, even though
Steller sea lion populations continue to decline in those areas and
NMFS acknowledges that existing fishing levels cannot be ruled out as a
contributing cause of the ongoing decline. Significantly, the western
Aleutian sub-regional population declined substantially--60 percent
from 2000 to 2012--and a 2013 study found that the probability of
extinction in the western Aleutian Islands is substantial within 50
years.
Response: The recovery criteria in the 2008 Recovery Plan are
discussed in Section 3.5 of the 2014 BiOp and Section 1.9.4 of the EIS.
The recovery criteria compose the core standards upon which to base a
decision to remove Steller sea lions from the Endangered Species List.
The biological (demographic) recovery criteria are intended to maintain
Steller sea lion populations throughout their range. Currently, there
are no geographic gaps in the range of Steller sea lions and the
Recovery Team determined, and NMFS concurred, that it is important to
the species' viability to maintain populations in all six sub-regions
of the WDPS. Significant declines over large areas (two sub-regions or
more) could indicate that the extinction risk may still be high and
that further research would be needed to understand the threats before
delisting. NMFS notes that although the recovery criteria are still
applicable, there have been substantial improvements in the best
available scientific information on Steller sea lions since the
publication of the 2008 Recovery Plan. The 2014 BiOp considered the
best available scientific information.
The abundance of Steller sea lions in Alaska is increasing at a
statistically significant rate; however, the increase is due to
significant increases in population growth in three of the six sub-
regions (the eastern Aleutian Islands, the western GOA, and the eastern
GOA). Steller sea lions continue to decline in the central Aleutian
Islands and western Aleutian Islands. The rate of decline is not
statistically significant in the central Aleutian Islands, but is
statistically significant in the western Aleutian Islands. The rate of
increase is uncertain in the central GOA. See response to Comment 13
for additional information on the population status of Steller sea
lions.
Section 3.6 of the 2014 BiOp and Section 5.1.1.2 of the EIS discuss
the extinction risk of Steller sea lions in Alaska. The studies
presented in those sections show no risk of extinction for Steller sea
lion in the WDPS within 100 years. These studies also considered the
probability of extinction in each of the six specific sub-regions
within 100 years. The studies concluded that Steller sea lion
populations in all six of the sub-regions, with one exception, have no
risk of extinction within 100 years. The population in the western
Aleutian Islands sub-region is predicted
[[Page 70297]]
to have a high probability of extinction within 100 years.
As explained in Section 7.1 of the 2014 BiOp, NMFS considered the
effects of the proposed action on the survival and recovery of sea lion
populations in the individual sub-regions per the criteria in the 2008
Recovery Plan. NMFS' opinion in the 2014 BiOp is that the preponderance
of available data does not support a conclusion that the groundfish
fisheries as proposed and the current groundfish abundance are limiting
Steller sea lion population growth rates. NMFS acknowledges that, due
to significant data gaps, NMFS cannot rule out the effects of fishing
as contributing to the continued decline in the western Aleutian
Islands and the lack of recovery in the central Aleutian Islands (see
Section 5.4.5 of the 2014 BiOp).
Given these data gaps, NMFS maintains that a precautionary approach
to fishing for sea lion prey species in Steller sea lion critical
habitat is warranted, especially in winter, and that catch of prey
species should be dispersed in time and space to prevent localized
depletion of prey at least until NMFS has better information about
local biomass and exploitation rates (see Section 5.4.5 of the 2014
BiOp). The Steller sea lion protection measures implemented in this
final rule maintain substantial groundfish fishery closures and catch
limits in Steller sea lion critical habitat (see Section 5.3 in the
2014 BiOp and Sections 2.1.5 and 5.2.2.6 of the EIS) to reduce the
potential for competition for prey between the fisheries and sea lions
and to ensure that the fisheries are not likely to jeopardize the
continued existence of the WDPS of Steller sea lions or destroy of
adversely modify their designated critical habitat.
For example, directed fishing for Atka mackerel, pollock, and
Pacific cod with trawl gear will be prohibited in 76 percent, 95
percent, and 76 percent, respectively, of the area designated as
critical habitat in the western Aleutian Islands (Area 543). Limits
will be imposed on the amount of the TAC of these Steller sea lion prey
species that may be taken from Area 543, which corresponds with the
western Aleutian Islands sub-region (see Section 2.1.5 of the EIS).
Seasonal catch limits will also be imposed and the amount of Atka
mackerel that can be caught in Steller sea lion critical habitat in the
central and western Aleutian Islands (Areas 543 and 542) will be
limited to 60 percent of the TAC. Refer to the preamble to the proposed
rule for the full suite of Steller sea lion protection measures
implemented by this final rule.
NMFS' opinion about the effects of the proposed fisheries on the
Steller sea lion population in the western Aleutian Islands sub-region
and their designated critical habitat is summarized in Section 7.3 of
the 2014 BiOp. The measures implemented by this final rule to reduce
potential competition between the groundfish fisheries and Steller sea
lions overall, and in sea lion critical habitat in the western Aleutian
Islands, are not likely to appreciably reduce the likelihood of
survival or recovery of the western Aleutian Islands Steller sea lion
sub-population. However, based on an assessment of the available data,
NMFS concluded that a decline in numbers of the western Aleutian
Islands Steller sea lion population is likely to continue for unknown
reasons, even apart from any changes in the fisheries, and that the
measures implemented by this rule are not likely to yield population
level effects that would appreciably change the likelihood of survival
or recovery of the Steller sea lion population within the western
Aleutian Islands sub-region. NMFS also concluded that the effects of
the proposed fisheries in the central Aleutian Islands (corresponding
with NMFS management areas 542 and 541) are not likely to appreciably
reduce the likelihood of survival or recovery in the central Aleutian
Islands sub-region. Because the proposed fisheries are not likely to
reduce the survival or recovery of Steller sea lion populations in the
western and central Aleutian Islands sub-regions, NMFS concluded that
the proposed fisheries are not likely to appreciably reduce the
likelihood of survival or recovery of the WDPS of Steller sea lions
(Section 7.3 of the 2014 BiOp).
Comment 20: All protections should remain in place to protect
Steller sea lions until NMFS can confirm that the threats that have
resulted in the unforeseen and unexplained declines of Steller sea lion
populations in the central and western Aleutian Islands have abated.
The 2010 Interim Final Rule management measures to protect the
population in these sub-regions represent the maximum spatial extent
and amount of fishing that can be permitted by the commercial
groundfish fisheries. In fact, with ongoing declines persisting in
these areas despite the protection measures instituted by the 2010
Interim Final Rule, additional protection measures may be necessary.
There are no conditions under which these endangered Steller sea lions
would not be jeopardized if restrictions were relaxed. The
environmental impact of fishing is never conducive to the preservation
of wildlife or natural habitats.
Response: NMFS is concerned about the continued decline of Steller
sea lions in the western and central Aleutian Islands sub-regions.
However, NMFS concluded that the changes to the Aleutian Islands
groundfish fisheries management in this final rule are not likely to
reduce the survival or recovery of sea lion populations in the western
or central Aleutian Island sub-regions, let alone the WDPS of Steller
sea lions as a whole. See response to Comment 19. The EIS analyzed the
environmental impacts of the proposed action and its alternatives on
wildlife and habitat.
Comment 21: NMFS' refusal to address the correlation between sub-
regional population trends and Steller sea lion protection measures is
arbitrary and harmful because it defies a key performance standard set
forth in the 2010 FMP BiOp. The proposed rule purports to maintain the
goal of providing more protection to Steller sea lions where more
decline in their population is evident. As the proposed rule would
eliminate Steller sea lion protection measures in the central and
western Aleutian Islands, the portion of the species' range where the
population continues to decline, it obviously fails to meet this
performance standard. The proposed rule would open more critical
habitat to more fisheries in Area 543 relative to Areas 541 and 542,
despite the fact that the negative population trend is most pronounced
in Area 543.
Response: Contrary to the commenter's assertion, this final rule
does not eliminate Steller sea lion protection measures in the central
and western Aleutian Islands, but rather maintains or modifies Steller
sea lion protection measures in a manner that is consistent with the
mandates of the ESA and the Magnuson-Stevens Act.
Section 1.10.3 of the EIS describes the objective and performance
standards to mitigate potential adverse impacts of the fisheries on
Steller sea lions. The Council and NMFS considered these performance
standards when selecting the preferred alternative in the EIS. The
performance standards reflect concepts NMFS has applied for over a
decade to mitigate potential impacts of the groundfish fisheries on
Steller sea lions and their critical habitat. The specific set of
performance standards for this action originated in the 2010 FMP BiOp
and was subsequently modified in the EIS to reflect new information
available since the since 2010 FMP BiOp was prepared. The action
implemented in this final rule adheres to the performance standards by
closing important Steller sea lion habitat and
[[Page 70298]]
foraging areas to directed fishing for Steller sea lion prey species,
dispersing catch between seasons, limiting the amount of sea lion prey
species that may be caught inside critical habitat, maintaining and
establishing 3-nm groundfish fishing closures around designated and
emerging rookeries in the Aleutian Islands, and including additional
harvest controls for Steller sea lion prey species in Area 543--the
western Aleutian Islands. This final rule also conserves prey
availability for Steller sea lions by closing areas to directed fishing
for Atka mackerel where tagging studies indicate high movement of fish
from inside to outside closure areas.
A greater percentage of the critical habitat area will be open to
directed fishing for Atka mackerel and Pacific cod in Area 543 relative
to Areas 542 or 541 under this final rule. However, this final rule
imposes stricter harvest limits for Atka mackerel and Pacific cod in
Area 543 compared to the harvest limits that will apply in Areas 542
and 541 (see Section 2.1.5 of the EIS) in accordance with the
performance standards in the 2010 FMP BiOp. Taken as a whole, these
measures meet the performance standards by limiting catch overall in
the areas where the rate of decline is most evident. The specification
of a separate Aleutian Islands Pacific cod ABC and TAC beginning in
2014 (see Section 3.3.3 of the EIS) substantially reduced Pacific cod
harvests in the Aleutian Islands relative to baseline harvests. The
historical data indicate that higher Pacific cod catches are expected
in Area 541 compared to Areas 542 and 543 (see EIS Sections 8.11 and
8.18.3). As explained in the preamble to the proposed rule (79 FR
37486), the measures to mitigate the potential effects of the pollock
fishery on Steller sea lions and critical habitat conform to the
performance standard and are more protective where the Steller sea lion
decline is most evident. To meet the objective of the mitigation
measures (see EIS Section 1.10.3), the Council and NMFS considered the
performance standards, changes to the fisheries relative to the action
analyzed in the 2010 FMP BiOp, and the effects of the alternatives when
selecting the preferred alternative being implemented in this final
rule.
Comment 22: The Council's recommended preferred alternative is
supported by the EIS and the 2014 BiOp. Together, these two documents
fulfill the U.S. District Court's directive to NMFS to take a hard look
at the data. In doing so, NMFS has been responsive to the Center for
Independent Experts' review of the 2010 BiOp, as well as to public
comment on the 2010 BiOp and to the external review commissioned by the
states of Alaska and Washington.
Response: NMFS acknowledges the comment.
Comment 23: The EIS's focus on raw numbers concerning area closures
and catch volumes do not meaningfully capture the severity of the
impacts or the degree to which the action may adversely affect Steller
sea lions or their habitat. The EIS analysis assumes that fishery
removals of prey may adversely affect Steller sea lions, and that
incremental increases in prey removals and opening more areas of
critical habitat, relative to status quo, could have incremental,
adverse effects on prey availability for Steller sea lions. While these
assumptions are appropriate, the EIS applies them in an exclusively
relativistic manner, never offering an ultimate, objective judgment of
the environmental effects of the alternatives on Steller sea lions.
Response: Chapter 5 of the EIS provides a clear explanation of the
methods used for the analysis of the potential effects of the fisheries
on Steller sea lions. The analysis examines the effects of the
alternatives on incidental takes (Section 5.2.1), harvest of prey
species (Section 5.2.2), and disturbance (Section 5.2.3). Section 5.2.2
describes the method and assumptions used to analyze the effects of the
alternatives with the best scientific information available. The best
available scientific information includes quantitative fisheries catch
information in time and space and critical habitat locations in
relation to fishing activity. This information is used to compare and
contrast the effects of the alternatives. The EIS provides conclusions
for each effect based on the results of the analysis. The assumptions
that are used in the analysis are clearly stated for the public's
understanding of the nature of the available information and how this
information is used in the analysis. The commenter's request that this
information be presented and that an objective judgment on the effects
of the alternatives be provided can be found in the EIS in the sections
referenced above and in its conclusions.
Comment 24: The 2014 BiOp is premised on an examination of the
overlap in depth between the fisheries and Steller sea lion diving, by
season, based on our best understanding of the two variables. The EIS
undercuts the reliability of this work to reach a conclusion of no
jeopardy, stating that the extent to which competition between
fisheries and Steller sea lions may be avoided through partitioning of
resources by depth can be difficult to judge using the available
information. Scientific studies of Steller sea lion foraging patterns
are just beginning to characterize the diving depths and patterns of
Steller sea lions, and they are likely capable of foraging patterns not
yet described or anticipated. Describing the overlap in depth between
fisheries and Steller sea lions is further complicated by diet or
seasonal vertical migrations of the fish resources for reproduction,
refuge, or foraging.
Response: Overlap in fishery and Steller sea lion foraging depth is
one necessary condition for competition between fisheries and Steller
sea lions for prey species. Information on sea lion foraging and
fishing depths is discussed in Section 5.3.5 of the 2014 BiOp and
Section 5.2.2.1 of the EIS. The 2014 BiOp contains a detailed analysis
of fishery and Steller sea lion foraging depths as one aspect of the
exposure analysis. The objective of an exposure analysis in a
biological opinion is to establish the extent of spatial and temporal
overlap of the proposed action with the listed species and designated
critical habitat. NMFS conducted a new exposure analysis in the 2014
BiOp in response to comments from two external scientific reviewers who
cited shortcomings with the exposure analysis in the 2010 FMP BiOp.
While the depth analysis in the 2014 BiOp is more detailed than in
the EIS, the conclusions of the respective analyses are in accord with
each other. For example, the EIS concludes that competition may be less
likely between Steller sea lions and fisheries that harvest species
found deeper in the water column. In the 2014 BiOp, NMFS also inferred
greater potential depth overlap with sea lions between the Pacific cod
and Atka mackerel fisheries than for pollock fisheries, based on the
available data. The pollock fishery occurs at deeper depths than the
Pacific cod and Atka mackerel fisheries (see Section 5.3.5 in the 2014
BiOp). NMFS also noted in the 2014 BiOp that there were limitations in
the available data for drawing inferences about the cause of apparent
depth partitioning in some portion of sea lion dives and pollock trawl
hauls. These conclusions are consistent with the conclusions in Section
5.2.2.1 of the EIS, which notes that diel or seasonal vertical
migrations of fish complicates the description of depth overlap between
the fisheries and Steller sea lions.
Comment 25: The assessment of the frequency and intensity of
fishery removals in the 2014 BiOp does not support the BiOp's ``no
jeopardy'' conclusion. This assessment is also
[[Page 70299]]
contrary to the EIS because the EIS acknowledges that the critical link
between fisheries removals (e.g., time, rate, location) and the effects
on Steller sea lions is poorly understood and that the relationship
between these catch rates and the impacts on prey cannot be determined
except that higher catch rates in relation to low prey abundance would
be more likely to result in localized depletions.
Response: Section 5.3.7 in the 2014 BiOp analyzes the probable
extent of removal of important Steller sea lion prey under the proposed
action. Section 5.3.8 of the 2104 BiOp presents NMFS' conceptual model
of how Steller sea lions are exposed to the effects of prey removal by
the groundfish fisheries. Section 5.3.8 of the 2014 BiOp and Section
5.2.2 of the EIS consistently describe the conditions expected to lead
to localized depletion of prey. Consistent with the limitations to
assessing effects described in Section 5.2.2.1.4 of the EIS, Section
5.3.8 of the 2014 BiOp acknowledges that NMFS lacks data to determine
conclusively whether the fisheries fragment the prey patches, modify
the proportion of prey at depth, and ultimately result in reduced prey
abundance.
Comment 26: Assessing the potential overlap in the size of prey
consumed by Steller sea lions and those taken in the commercial fishery
is another key analytical prong of the 2014 BiOp. The 2014 BiOp's
conclusion of limited overlap and no jeopardy is not consistent with
the EIS, which found that the ranges of size of prey selected by
Steller sea lions, as referenced above, do overlap with the ranges of
size of prey taken in the groundfish fisheries in the Aleutian Islands
as calculated in this analysis.
Response: As discussed in Section 5.2.2.1.2 of the EIS, overlap in
size between fish consumed by Steller sea lions and those taken in the
commercial fishery is one of several necessary conditions for
competition for prey. Overlap in size of prey eaten by Steller sea
lions and size of fish caught by the groundfish fisheries is analyzed
in Section 5.2.2.1.2 of the EIS and Section 5.3.6 of the 2014 BiOp. The
two analyses consistently conclude that the best available scientific
information indicates that the size ranges of prey eaten by Steller sea
lions and the size range of fish taken in the groundfish fisheries in
the Aleutian Islands overlap. The 2014 BiOp discusses that the best
available scientific information indicates greater overlap in the size
of Atka mackerel and pollock taken by the fisheries and Steller sea
lions compared to the overlap in the size of Pacific cod taken by the
fisheries and Steller sea lions and notes the limitations of the
available data and the uncertainty about the extent of potential
overlap.
Comment 27: The EIS' approach obscures the potential severity of
the proposed action for both Steller sea lions in the central and
western Aleutian Islands and Steller sea lions as a whole.
Unfortunately, the population trends for non-pups in the central and
western Aleutian Islands sub-regions continue to decline, with a
particularly severe decline in abundance (a 60 percent decrease)
observed in the western Aleutian Islands between 2000 and 2012. A 2013
study found that the probability of extinction in the western Aleutian
Islands is substantial even within 50 years. The EIS fails to
acknowledge that even a modest increase in pressure on prey resources
in the western Aleutian Islands could precipitate a severe result,
given that the sub-population already faces a high risk of extirpation.
The EIS also fails to note that such an outcome could have equally
severe ramifications outside of the western Aleutian Islands, as the
best available science indicates that the extirpation of Steller sea
lions in the western Aleutians would be significant to the WDPS, and
would be expected to appreciably reduce the likelihood of both their
survival and recovery in the wild.
Response: Sections 5.1.1.1 and 5.1.1.2 of the EIS describe the
population abundance and trends for the entire WDPS of Steller sea lion
pups and non-pups based on the best scientific information available.
The purpose and need of the action focuses the alternatives and the
analysis of the effects on the action area, the Aleutian Islands, which
is a portion of the range of WDPS of Steller sea lions. Section 5.1.1.2
describes the population trend for the entire WDPS of Steller sea lions
(i.e., Alaska and Russia/Asia), the entire Alaska portion of the range
of Steller sea lions, and the population trends in each sub-region in
Alaska. This puts the population trend in the action area in context
for the entire population. NMFS notes that the abundance of WDPS
Steller sea lions in Alaska is increasing at a statistically
significant rate, though the Steller sea lion population in the western
Aleutian Islands sub-region is declining at a statistically significant
rate (see response to Comment 13).
The EIS analysis focuses on the effects on Steller sea lions that
occur in the Aleutian Islands. EIS Section 5.1.1.2 discusses the
process Johnson (2013) developed for forecasting the population of
Steller sea lions and summarized the probability of the population
falling below a quasi-extinction threshold within 50 and 100 years. A
quasi-extinction threshold is the population size, greater than zero,
at which a population is ultimately doomed to extinction due to genetic
or physical constraints of the small, remaining population. NMFS
examined three methods: The Morris and Doak (MD) method (Morris and
Doak 2002), and restricted and unrestricted agTrend methods (Johnson
2013). The results for each method were qualitatively the same: There
is approximately a zero percent probability of quasi-extinction of the
Steller sea lion population in Alaska as a whole within the next 100
years. Similarly, there is approximately a zero percent probability of
quasi-extinction of the Steller sea lion population from each of the
sub-regions within Alaska within the next 100 years, with one exception
for the western Aleutian Islands sub-region. The probability of
extirpation of the Steller sea lion population in the western Aleutian
Islands sub-region is substantial even within 50 years.
The EIS states that competition with fisheries may affect prey
availability to Steller sea lions. In the EIS, prey effects are
considered adverse effects because, based on information available on
prey interaction, it is assumed there are no beneficial effects from
removal of prey. Removal of prey can have direct and indirect adverse
effects on Steller sea lions. The EIS discusses the potential adverse
effects to Steller sea lions from the harvest of prey resources in the
Aleutian Islands under all of the alternatives. After conducting this
analysis, and analysis of other factors detailed in the EIS, NMFS
concluded in the 2014 BiOp that although there is a substantial risk of
extinction of the Steller sea lion population in the western Aleutian
Islands based on projected population trends, additional management
measures beyond those implemented in this final rule were not required
to insure that groundfish fisheries are not likely to jeopardize the
continued existence of the WDPS of Steller sea lions or destroy or
adversely modify their designated critical habitat.
Comment 28: The EIS does not comply with NEPA because it fails to
analyze the significance of the effects of the action on endangered
Steller sea lions. The EIS did not determine the population-level
effects to Steller sea lions from the indirect effects of fishing on
prey availability for the alternatives. Rather than assess potential
population-level consequences of each alternative using objective
metrics, prey effects were analyzed purely in comparative form by
evaluating the percentage of
[[Page 70300]]
critical habitat closed to each fishery and the harvest of prey species
in critical habitat by each fishery exclusively within the western and
central Aleutian Islands. The details on local closures and catch
within critical habitat in Areas 541, 542, and 543, while appropriate,
are no substitute for further analysis in a broader context, including
at the population level of the WDPS of Steller sea lions. A population-
level analysis for each alternative in the EIS is essential to making a
reasoned choice among the proposed management regimes for the western
and central Aleutian Islands because the best available science as
reflected in the 2008 Recovery Plan (see ADDRESSES), provides a clear
basis for the conclusion that sub-regional declines have a profound
effect on the future of the entire species.
Response: The EIS analysis provides the decision makers with the
ability to compare and contrast the effects of the alternatives on the
human environment consistent with the requirements of NEPA by
disclosing information on fishery removals of prey and critical habitat
closures under the alternatives within the action area. EIS Chapter 5
includes the evaluation of the effects of the alternatives on Steller
sea lion incidental takes, disturbance, and potential effects on prey
using the best available information. NMFS reviewed the information
available to inform the analysis and determined that a population-level
analysis was not necessary to determine the potential effects of the
alternatives on Steller sea lions and their critical habitat because
the effects of fishing occur at the local scale and the decision was
which suite of protections measures is appropriate to meet the purpose
and need for the action. EIS Section 5.2.2 describes the method used to
analyze the effects of the alternatives with the best available
scientific information and the assumption applied to the analysis. Best
scientific information available includes quantitative fisheries catch
information in time and space and critical habitat locations in
relation to fishing activity. This information is used to compare and
contrast the effects of the alternatives.
Comment 29: We strongly disagree with the core of NMFS' rationale
for this proposal which is: (1) There are enough fish in the Bering Sea
and Aleutian Islands for fishermen and Steller sea lions to share; the
small Steller sea lions population only consumes a small portion of
fish we think are there; and (2) we have designed a system with enough
spatial and temporal dispersal of the fishing effort such that fishing
does not overlap with Steller sea lions critical habitat to a great
degree. Yes, on a mass balance basis, there are enough fish for
fishermen and Steller sea lions to share. But Steller sea lions are not
the only inhabitants of this ecosystem; other predators like seabirds,
killer whales, and seals depend on fish being abundant in this area and
some of those species are showing worrisome declines that may be
related to too few fish in the ocean.
Response: NMFS' rationale for this final rule is supported by the
2014 BiOp (see ADDRESSES). The 2014 BiOp concludes that the proposed
action would establish Steller sea lion protection measures for the
Atka mackerel, Pacific cod, and pollock fisheries in the Aleutian
Islands subarea that spatially and temporally disperse fishing to
mitigate potential competition for prey resources between Steller sea
lions and these fisheries. Spatial and temporal fishery dispersion is
accomplished through closure areas, harvest limits, seasonal
apportionment of harvest limits, and limits on participation in a
fishery. The proposed action would retain or modify existing closure
areas, harvest limits, seasonal apportionment of harvest limits, and
limits on participation in ways that are designed to limit competition
for prey with Steller sea lions.
NMFS agrees that a wide range of species occurring in the action
area prey on groundfish. NMFS conservatively manages the groundfish
fisheries and limits catch for ecosystem considerations, including a
conservative optimum yield cap and a global control rule. In the 2010
FMP BiOp, NMFS analyzed the effects of the authorization of groundfish
fisheries, including the prosecution of parallel groundfish fisheries
in Alaska state waters (see ADDRESSES). The 2010 FMP BiOp is
comprehensive in scope and considers the fisheries and the overall
management framework established by the FMP to determine whether that
framework contains necessary measures to ensure the protection of
listed species and critical habitat. The 2010 FMP BiOp analyzed the
pattern and level of fishery removals occurring in different groundfish
fisheries and the policy choices, decisions about exploitation
strategies, and stock and stock complex assessments that set the
harvest levels.
The 2014 BiOp identified the importance of maintaining global, or
broad scale, limits on the harvest of Atka mackerel, Pacific cod, and
pollock. Global limits are currently in place for these three species.
Regulations prohibit directed fishing in the BSAI or GOA if the
projected spawning biomass of the fish stock falls below 20 percent of
the unfished spawning biomass (see regulations at Sec. 679.20(d)(4)).
Atka mackerel, Pacific cod, and pollock fisheries have not experienced
this type of directed fishing closure since global limits became
effective in 2003 (68 FR 204, January 2, 2003).
Additionally, NMFS conducts ecosystem modeling and incorporates
ecosystem considerations, including predation, into the stock
assessment models. See response to comment 54.
Further, the EIS analyzes the impacts of the proposed action and
its alternatives on a wide range of ecosystem elements, including local
fish populations in Chapter 3, killer whales and seals in Chapter 5,
seabirds in Chapter 6, and on the ecosystem as a whole in Chapter 7.
Comment 30: NMFS improperly fails to disclose in the final EIS the
strong dissenting views held by NMFS scientists regarding the analysis
and conclusions contained in the draft 2014 BiOp. For example, Alaska
Fisheries Science Center scientists prepared a memorandum stating that
the spatial overlap analysis in the draft 2014 BiOp is fundamentally
flawed and cannot be used as a basis to evaluate spatial overlap
between fisheries and Steller sea lions, nor support any conclusions
about whether jeopardy or adverse modification to critical habitat may
or may not be expected to occur as a result of the fishery action. The
Steller Sea Lion Coordinator for the Alaska Region prepared a memo
stating that the exposure analysis in the draft 2014 BiOp was
fundamentally flawed and needed to be redone and the draft 2014 BiOp
was not consistent with the NOAA Scientific Integrity Policy because it
does not provide accurate or adequate acknowledgement or discussion of
uncertainties or the probabilities associated with both optimistic and
pessimistic projections for sea lions. These memos indicate there was
internal dissent within NMFS regarding the draft 2014 BiOp analysis
that the EIS relies upon for its discussion regarding the environmental
impacts of the proposed action on Steller sea lions. NMFS was obligated
to disclose and discuss these adverse opinions within the body of the
EIS and failed to meet that obligation.
Response: NMFS is not obligated to discuss pre-decisional internal
agency discussions in an EIS. However, NMFS does discuss areas of
controversy and uncertainty in the Executive Summary and in Chapter 5
of the EIS. NMFS relies on EIS Chapter 5 for the analysis of the
impacts of the proposed action and its alternatives on Steller sea
lions. All internal agency discussions were
[[Page 70301]]
considered by NMFS in making the final determination.
Comment 31: In our July 12, 2013, comments on the draft EIS, we
recognized the effort of NMFS to produce a thorough analysis that
articulates the anticipated impacts of a complex proposal and applauded
your partnerships with the U.S. Coast Guard, U.S. Fish and Wildlife
Service and the Alaska Department of Fish and Game in developing the
EIS. We identified Alternative 5 as a practical combination of some of
the more beneficial aspects of other alternatives for the Atka
mackerel, Pacific cod, and pollock fisheries, based in large part in
response to stakeholder concerns identified during scoping. We also
recognized that an intensive monitoring program will be implemented
with this alternative, and adjustments made as results are assessed. We
did not have concerns regarding the preferred alternative and offered
no additional suggestions for further minimizing impacts. The EIS
continues to identify modified Alternative 5 as the NMFS preferred
alternative. We support this decision and recommend that this
alternative be selected in the Record of Decision.
Response: NMFS acknowledges the comment.
Comments on Economic Issues
Comment 32: Reject the proposed rollback of needed protections for
Steller sea lions. The proposed rule reflects an abdication of NMFS'
stewardship obligations, does not comply with NMFS' legal or moral
obligations, is not consistent with the best available science, and
appears to prioritize short-term economic gain ahead of long-term
sustainable management. A decision to authorize significant additional
fishing pressure even as Steller sea lions continue to decline in the
central and western Aleutian Islands and fail to meet recovery criteria
overall would run directly counter to those moral, ethical, and legal
obligations.
Response: This action implements a suite of Steller sea lion
protection measures in the Aleutian Islands groundfish fisheries that
adheres to the requirements of the ESA and Magnuson-Stevens Act, and
are consistent with our legal and stewardship obligations. NMFS used
the best available commercial and scientific data to inform development
of the alternatives and analyze their impacts on Steller sea lions and
the human environment. This final rule maintains protections consistent
with the ESA for Steller sea lions through numerous spatial and
temporal harvest limits and critical habitat area closures applicable
to the harvest of key Steller sea lion prey species of Atka mackerel,
Pacific cod, and pollock and sustainable management of the Aleutian
Islands groundfish fisheries.
Comment 33: In light of the protective purpose of the ESA, NMFS
must respect Congress' intent to give the benefit of the doubt to the
species. NMFS' action should be consistent with the ESA's conservation
goals and the ESA's policy of institutionalized caution.
The proposed rule asserts that the Council and NMFS understood that
a preferred alternative and any resulting rule must meet the
requirements of the ESA before factors that minimize, to the extent
practicable, the economic impacts on fishery participants could be
considered. This assertion notwithstanding, the proposed rule
repeatedly states that certain lesser protection measures have been
selected because they ``balance'' conservation of Steller sea lions
with economic opportunities for the commercial fisheries. The balancing
approach undertaken by the Council and NMFS is unlawful because the ESA
disallows balancing the benefit to the species against the economic and
technical burden on the industry. NMFS proposes an unprecedented
reversal of the ESA's mandated precaution and appears to premise its
analysis and conclusions on an illegal shifting of the burden of proof
and an impermissible elevation of economic considerations.
Under the ESA, economic considerations may not be considered in an
agency's determination of whether an action is likely to cause
jeopardy--a determination that must be based exclusively on the best
available science. Because the legislation reveals a conscious decision
by Congress to give endangered species priority over the primary
missions of Federal agencies, NMFS may not give equal priority to
economic concerns and its obligations under the ESA.
Response: The purpose and need for this action is explained in
Section 1.3 of the EIS. The purposes of this action are to first,
comply with the requirements of the ESA by implementing Steller sea
lion protection measures in the Alaska groundfish fisheries and,
secondly, and only after the first purpose is met, to minimize, to the
extent practicable, economic impacts to the groundfish fisheries from
the measures.
In compliance with the ESA, NMFS conducted a section 7 consultation
on the action implemented in this final rule. During that consultation,
NMFS used the best scientific and commercial data available. The
results of the ESA section 7 consultation are documented in the 2014
BiOp. In the 2014 BiOp, NMFS concluded that the implementation of the
proposed action was not likely to jeopardize the continued existence of
the WDPS of Steller sea lions or destroy or adversely modify designated
Steller sea lion critical habitat. Economic impacts were not a factor
in making that conclusion.
NMFS agrees that ESA section 7 analyses should err on the side of
the survival and recovery of the listed species when the effects of an
action are uncertain. The analysis in the 2014 BiOp is a cautionary
examination of the effects of the groundfish fisheries on Steller sea
lions and their designated critical habitat. NMFS assumes that
groundfish fisheries may compete with Steller sea lions for prey. NMFS
makes this assumption even though there is substantial scientific
debate as to whether such competition exists, or if it does, whether
the levels of removals in the fishery would be sufficient to cause
competition in a way that would impede the survival and recovery of
Steller sea lions. In Section 5.3.8 of the 2014 BiOp, NMFS presents a
conceptual model illustrating the pathways through which Steller sea
lions are exposed to the stressor of reduced prey resources due to the
groundfish fisheries. NMFS' conceptual model for Steller sea lion
behavioral and physiological responses to reduced prey resources is
shown in Section 5.4 of the 2014 BiOp.
NMFS discusses where the available data allow inference of the
effects and where the available data are equivocal as to the effects on
prey availability and subsequent effects on Steller sea lion fitness.
In cases where the data are equivocal, to avoid underestimating the
potential risk to the survival and recovery of Steller sea lions, NMFS
assumes the groundfish fisheries may compete with sea lions for prey
and assumes that the most extreme physiological consequences would
result. In those cases, NMFS concluded that local Steller sea lion
populations may be affected by the proposed action but that the
magnitude of the effect would not be sufficient to appreciably reduce
the likelihood of survival or recovery in either the central or western
Aleutian Islands sub-regions. Because the action is not likely to
appreciably reduce the likelihood of survival or recovery in the
individual sub-regions, the proposed action is not likely to
appreciably reduce the likelihood of survival or recovery of the WDPS
of Steller sea lions. In other cases, the best scientific data
available support a conclusion that the proposed groundfish fisheries
are not likely to cause localized
[[Page 70302]]
depletion of prey and are not likely to reduce the fitness of
individual sea lions or adversely modify their designated critical
habitat.
In developing the proposed action and its alternatives, the Council
and NMFS did consider impacts on fishery participants. NMFS is required
to consider the impacts of its fishery management actions on fishery
participants under the Magnuson-Stevens Act, Executive Order 12866, and
the Regulatory Flexibility Act. In the preamble to the proposed rule,
NMFS describes each regulatory provision and provides an explanation as
to why the Council recommended and NMFS approved and implemented these
regulatory provisions. These explanations address why a particular
regulatory provision was included or why a particular provision from
the 2010 Interim Final Rule was revised or removed. However, it is
NMFS' conclusions in its 2014 BiOp that the regulatory provisions,
individually and collectively, are not likely to jeopardize the
continued existence of Steller sea lions or destroy or adversely modify
designated Steller sea lion critical habitat.
Comment 34: The EIS does not comply with the National Environmental
Policy Act (NEPA) because its statement of purpose and need
impermissibly elevates economic considerations and impermissibly
qualifies NMFS' conservation obligations pursuant to the ESA and the
Magnuson-Stevens Act with a duty to minimize costs, where practicable.
NMFS insists that in meeting ESA requirements, it also needs to make
sure that the measures that it implements minimize, to the extent
practicable, adverse economic impacts to the groundfish fisheries.
NMFS' emphasis on a balance of meeting the ESA obligations while
minimizing economic impacts to the extent practicable is both misplaced
and unlawful.
Response: NMFS has determined that the EIS complies with NEPA. The
purpose and need in the EIS is clear that NMFS needs to implement
Steller sea lion protection measures to meet its obligations under the
ESA. The ESA is clear that economic factors are not considered by the
consulting agency (NMFS PRD) when making a determination about the
impact of this action under a section 7 consultation. NMFS SFD
consulted on this action and NMFS PRD determined that the
implementation of this action was not likely to jeopardize the
continued existence of Steller sea lions and was not likely to destroy
or adversely modify designated Steller sea lion critical habitat. This
determination was made without the consideration of economic impacts,
as discussed in response to Comment 33.
At the same time, NMFS is managing fisheries under the Magnuson-
Stevens Act, and the Magnuson-Stevens Act requires NMFS to implement
protection measures in a manner that minimizes adverse economic
impacts, to the extent practicable, on those affected by the
restrictions under the Steller sea lion protection measures. Under the
purpose and need for this action, NMFS must meet the requirements of
the ESA and do so in a manner that also meets the requirements to
manage fisheries to minimize adverse economic impacts to fishery
participants and fishery dependent communities, where practicable,
under the requirements of Magnuson-Stevens Act.
Comment 35: According to the EIS, NMFS' assertion that it must
balance ESA obligations against the potential cost of protection
measures to the fishery industry is grounded in National Standard 7 of
the Magnuson-Stevens Act. While National Standard 7 does encourage NMFS
to minimize costs and to avoid unnecessary duplication where possible,
NMFS may not give equal priority to economic concerns under the
Magnuson-Stevens Act and its obligations under the ESA because the ESA
reflects a conscious decision by Congress to give endangered species
priority over the primary missions of Federal agencies.
Despite the proposed rule's frequent and prominent invocation of
the need to minimize economic impacts, nowhere does the proposed rule
explain the legal or policy genesis of this objective. While National
Standard 7 does encourage NMFS to minimize costs and to avoid
unnecessary duplication where possible, NMFS may not select and elevate
one Magnuson-Stevens Act obligation from among the several management
obligations imposed by the statute. In addition to National Standard 7,
the Magnuson-Stevens Act includes substantive obligations to conserve
and manage fishery resources and to protect the marine ecosystem. NMFS
cannot simply ignore these additional Magnuson-Stevens Act obligations
or prioritize financial benefit for the fishing industry.
Response: Federal fishery management in the Aleutian Islands as a
whole is designed to conserve and manage fishery resources, protect the
marine ecosystem, and promote the long-term healthy and stability of
the fisheries, in accordance with the Magnuson-Stevens Act. The Council
and NMFS have fully considered the Magnuson-Stevens Act and the 10
National Standards in developing these regulations (see EIS Section
13.2.4).
The statement of purpose and need specifies the underlying purpose
and need to which NMFS is responding in proposing the alternatives,
including the proposed action. As explained in the EIS, the need to
comply with section 7 of the ESA is the primary driver for implementing
Steller sea lion protection measures. As NMFS has stated previously in
the preamble to the proposed rule and in this preamble, NMFS did not
consider economic factors when determining if the proposed action would
jeopardize the continued existence of Steller sea lions or destroy or
adversely modify their designated critical habitat. See response to
Comment 33 and the 2014 BiOp for additional detail.
However, after NMFS meets its requirements under the ESA, NMFS also
needs to make sure that the measures that it implements minimize, to
the extent practicable, adverse economic impacts to groundfish fishery
participants under the Magnuson-Stevens Act. This is not the same as
giving equal priority to economic concerns and ESA obligations.
This final rule implements an extensive suite of Steller sea lion
protection measures that impose economic costs on the fishing industry
compared to no protection measures. This final rule also relaxes some
Steller sea lion protection measures implemented under the 2010 Interim
Final Rule. These changes to Steller sea lion protection measures were
recommended by the Council based on the best scientific information
available. NMFS conducted a section 7 consultation on the Council's
recommendation under the requirements of the ESA (see 2014 BiOp) and
determined that the Council's recommendation was not likely to
jeopardize the continued existence of Steller sea lions or destroy or
adversely modify their designated critical habitat. Removing or
modifying specific protection measures and allowing some increases in
fishing is not the same as prioritizing financial benefit for the
fishing industry. See the preamble to the proposed rule for a complete
discussion of the specific Steller sea lion protection measures that
are modified or removed with this final rule.
Comment 36: The approach of the Council and NMFS was to ensure that
a preferred alternative met the requirements of the ESA before
considering factors that minimize, to the extent practicable, the
economic impacts on fishery participants.
[[Page 70303]]
Response: NMFS agrees and acknowledges the comment.
Comment 37: In formulating and selecting NEPA alternatives, NMFS
may not select and elevate one Magnuson-Stevens Act obligation from
among the several management obligations imposed by the statute. The
Magnuson-Stevens Act includes substantive obligations to conserve and
manage fishery resources and to protect the marine ecosystem. NMFS
cannot simply ignore these additional Magnuson-Stevens Act obligations
or prioritize financial benefit for the fishing industry.
Response: Federal fishery management in the Aleutian Islands as a
whole is designed to conserve and manage fishery resources, protect the
marine ecosystem, and promote the long-term health and stability of the
fisheries. The Council and NMFS have fully considered the Magnuson-
Stevens Act and the National Standards in developing this action, its
alternatives, and the implementing regulations. Specifically, EIS
Chapter 3 details how NMFS considered the effects of the alternatives
on target species; EIS Chapter 4 details how NMFS considered the
effects of the alternatives on non-target species; Chapter 5 details
how NMFS considered the effects of the alternatives on marine mammals;
Chapter 6 details how NMFS considered the effects of the alternatives
on seabirds; and Chapter 7 details how NMFS considered the effects of
the alternatives on the ecosystem. NMFS responds to public comments on
each of the Magnuson-Stevens Act's 10 National Standards in EIS Section
13.2.4.
This final rule implements an extensive suite of Steller sea lion
protection measures that impose economic costs on the fishing industry
compared to no protection measures. This final rule also relaxes some
restrictions on fishing implemented by the 2010 Interim Final Rule,
thereby relieving some of the costs imposed by that action. NMFS has
determined that these specific restrictions were not necessary to
insure that groundfish fisheries in the BSAI are not likely to
jeopardize the continued existence of Steller sea lions or destroy or
adversely modify their designated critical habitat and therefore could
be removed.
Comment 38: The proposed rule reflects a positive first step
towards establishing an appropriate management regime that adequately
protects the Steller sea lion without imposing unnecessary impacts on
the Alaskan economy, as did the 2010 Interim Final Rule. The Steller
sea lion population in Alaska has increased substantially since 2000.
While populations in some sub-regions have been slower to respond than
others, minimal, if any, evidence indicates that human activity such as
fishing and the resulting variations in prey availability negatively
affect the Steller sea lion population. In light of this tenuous
connection, the harsh fishing restrictions imposed by the 2010 Interim
Final Rule were unsupported. In contrast, the proposed rule presents a
more appropriate management decision, which would ease many of those
restrictions and enable increased fishing. The proposed rule is both
consistent with the balanced recommendation of the Council and
supported by adequate analysis of the best available science presented
in the 2014 BiOp.
Response: The Steller sea lion protection measures implemented by
the 2010 Interim Final Rule were based on the 2010 FMP BiOp (see
ADDRESSES) and supported by the best available information at that
time.
Comment 39: The proposed rule will benefit Alaskans, their
communities, the commercial fishing fleet, and the seafood processing
industry by easing the severe fishing restrictions set forth under the
2010 Interim Final Rule. That rule, which resulted in harsh economic
impacts, resulted from the hypothesis that groundfish fisheries are
causing nutritional stress to the Steller sea lions. Subsequent
independent, expert peer reviewers have questioned the scientific basis
for and the legitimacy of that hypothesis. The State's interests will
be best served through implementation of a management structure that
balances the interests of fishing opportunities with scientifically
defensible protections for Steller sea lions. The proposed rule would
accomplish those objectives.
Response: NMFS acknowledges the comment.
Comment 40: The proposed rule will eliminate several of the most
severe limitations implemented under the 2010 Interim Final Rule,
including complete retention restrictions for Atka mackerel and Pacific
cod in Area 543, and closures for pollock fishing in designated
critical habitat in Areas 543, 542, and 541. NMFS would replace these
complete closures with more targeted temporal and spatial restrictions
and catch limits based on available data showing the potential overlap
between Steller sea lion occurrence and the fisheries. The proposed
rule would retain significant restrictions on fishing that are intended
to prevent any potential effects of fisheries on Steller sea lions,
regardless of whether or not the effects are actually occurring. The
proposed rule takes a very precautionary approach to mitigation, aiming
for a very high degree of protection for Steller sea lions while
reducing, but not eliminating, impacts on fishery-dependent industry
and communities.
Response: NMFS acknowledges the comment.
Comment 41: We are encouraged that the economic impacts of the 2010
Interim Final Rule will be significantly reduced if the measures in the
proposed rule are approved. The new Steller sea lion protection
measures under this proposed rule retain a significant amount of
economic impact to the Amendment 80 sector relative to what was in
place prior to 2011. After reviewing the proposed rule and the
specifics of proposed fishery measures and groundfish quotas, we
estimate that the proposed Steller sea lion measures would restore a
little less than half of the loss to the Amendment 80 sector from the
2010 Interim Final Rule.
Response: NMFS acknowledges the comment.
Comment 42: The proposed rule will help to alleviate some of the
economic impact that the 2010 Interim Final Rule has had on the Alaskan
economy. The proposed rule allows for increased flexibility for Alaskan
vessels to harvest Atka mackerel, Pacific cod, and pollock, which will
in turn support the seafood processing industry and the local economies
of several remote coastal communities. The combination of reduced
closures and increased catch limits creates a more effective and
targeted management system in light of the minimal evidence of
competition for prey between the fisheries and the Steller sea lion.
Our family business is encouraged by opportunities granted under the
proposed rule that allow harvest in Areas 541, 542, and 543 otherwise
not available under the 2010 Interim Final Rule.
Response: NMFS acknowledges the comment.
Comments on Community Issues
Comment 43: The measures put in place with the 2010 Interim Final
Rule hit Adak harder than any other community. Not only was the
immediate local impact severe, the resulting loss of activity impacted
long term revenue to Adak attributable to those fiscal years. We
support the proposed regulations because NMFS provided a well-written
and well-reasoned justification in the 2014 BiOp for the determination
that the proposed action will not result in jeopardy or adverse
modification.
The proposed rule reduces the negative social and economic impacts
to the City of Adak and introduces the
[[Page 70304]]
economic certainty to allow for the processing plant operators to
develop plans that will keep the operation, and all of its
beneficiaries, employed or otherwise engaged. Re-opening Atka mackerel
fishing in limited areas west of Adak will provide more opportunity for
fuel sales and logistical support needs of the Atka mackerel catcher/
processor fleet. This should provide a partial relief to the Adak
community from the impacts of lower fuel sales resulting from the 2010
Interim Final Rule. The proposed rule would allow pollock fishing in
portions of the critical habitat. This change will allow the pollock
allocation, granted to the Aleut Corporation for the purpose of
economic development, to be harvested in the Aleutian Islands. This
will provide the opportunity to generate the necessary revenues to
address the economic development needs the community has required for
more than a decade.
Response: NMFS acknowledges the comment.
Comment 44: The proposed rule better utilizes the available
information and properly takes into account relevant factors to ensure
the Steller sea lion population avoids jeopardy while maintaining
viable economic opportunities for Aleut Corporation shareholders. Aleut
Corporation shareholders directly rely on Steller sea lions for
subsistence needs. No single group would be harmed greater by the lower
population trends of the Steller sea lions. However, Steller sea lion
conservation must be balanced with the ability for Aleuts to ``call
home'' their traditional lands that are economically based on
commercial fisheries. The proposed rule maintains a high level of
continued protection around critical habitat (especially in Areas 543
and 542) with more restrictive measures the farther west one goes. The
proposed rule also allows for increased fishing opportunities, the
economic lifeblood of the Aleutian region.
Response: NMFS acknowledges the comment.
Comment 45: Continue to consider the economic impacts of decisions
on local, small-scale, commercial fishermen that deliver their catches
to on-shore processing facilities. The catcher/processors play an
important economic role to the Aleutian Islands region, but so do
local, family businesses who purchase fuel and supplies from the
community of Adak and who deliver catch to in-state processing
facilities who greatly contribute to the lifeblood of economic
development to rural Alaskan communities like Adak.
Response: NMFS acknowledges the comment. NMFS notes that it
analyzed the impacts to commercial fishermen in EIS Chapters 8 and 9,
the initial regulatory flexibility analysis for the proposed rule, and
in the final regulatory flexibility analysis for the final rule.
Comments on the EIS Alternatives
Comment 46: The 2014 BiOp is much improved and addresses the
current conduct of the fishery in a straightforward manner. The 2014
BiOp also suggests that the areas we now know are important feeding
areas for Steller sea lions (inside 10 nm) were already mostly closed
to Atka mackerel, Pacific cod, and pollock fishing even before the 2010
Interim Final Rule was implemented. This indicates that (1) more of the
2010 Interim Final Rule's restrictions could have been relaxed; (2) the
alternatives considered by NMFS should have been expanded to include
even more fishing; and (3) the preferred alternative is excessively
protective. More could have been done using the new information in the
2014 BiOp to reduce restrictions in the regulations without impacting
Steller sea lions, particularly in the absence of direct information
supporting the theory that the groundfish fisheries adversely impact
Steller sea lions.
Response: The alternative selected by the Council and implemented
by this rule was selected after considering other alternatives that
would have allowed more fishing opportunities in the Aleutian Islands.
Although an alternative suite of management measures could have been
selected and reviewed under section 7 of the ESA, the management
measures implemented here represent a precautionary approach to
management in recognition of the requirements of the ESA. Additional
detail on the precautionary nature of this action relative to other
actions considered is provided in the EIS and the 2014 BiOp.
Comment 47: NMFS must select Alternative 1 (status quo). Among the
alternatives evaluated in the EIS, Alternative 1 is the only viable one
consistent with the conservation obligations imposed by the ESA and the
Magnuson-Stevens Act. The current protection measures for Steller sea
lions in the central and western Aleutian Islands reflect the minimum
steps NMFS must take to address ongoing declines and to protect Steller
sea lions. The outcome of the recent litigation over the 2010 FMP BiOp
and the status quo Steller sea protection measures compels selection of
Alternative 1 to maintain current protections. The 2010 FMP BiOp itself
counsels in favor of Alternative 1, as any lesser protection measures
than those established by 2010 Interim Final Rule likely are unlawful
under the ESA. The 2010 FMP BiOp's conclusion reflects NMFS' long-
standing and well-documented rationale that commercial fisheries
adversely affect Steller sea lions by competing with them for prey.
Unless and until NMFS can determine that the threats that have resulted
in ongoing declines have abated, the management measures described in
Alternative 1 represent the maximum spatial extent and amount of
fishing that can be permitted by the commercial groundfish fisheries.
Response: NMFS disagrees. Alternative 5 best meets the purpose and
need for this action. As NMFS has noted earlier in response to other
comments, this action is distinct from the action considered in the
2010 BiOp and includes new information not considered in the 2010 BiOp.
NMFS has determined that the regulations implementing Alternative 5 are
in compliance with the Magnuson-Stevens Act, as detailed in the EIS and
Record of Decision. NMFS has determined that Alternative 5 is in
compliance with the ESA, as detailed in the 2014 BiOp. The 2014 BiOp
concludes that the proposed action would establish Steller sea lion
protection measures for the Atka mackerel, Pacific cod, and pollock
fisheries in the Aleutian Islands subarea that spatially, temporally,
and globally disperse fishing to mitigate potential competition for
prey resources between Steller sea lions and these fisheries. Spatial
and temporal fishery dispersion is accomplished through closure areas,
harvest limits, seasonal apportionment of harvest limits, and limits on
participation in a fishery. The proposed action would retain or modify
existing closure areas, harvest limits, seasonal apportionment of
harvest limits, and limits on participation in ways that are designed
to limit competition for prey between fisheries and Steller sea lions.
Comment 48: If NMFS wants to take the precautionary approach that
this situation really requires, it could simply prohibit fishing and
monitor to see what happens to the Steller sea lion population over the
next 5 to 10 years. Prohibition or severe reduction of fishing activity
in the Aleutian Islands is the one and only tool to slow and reverse
the Steller sea lion decline. The economic impact of prohibiting
commercial fishing or severely restrict it in Areas 543 and 542 would
not be large, particularly not compared to the commercial fisheries
prosecuted in the Bering Sea. NMFS would rather allow a very small
fishery with $12 million
[[Page 70305]]
dollars per year of ex vessel revenue in 2012 (and perhaps 10 percent
of that in net profit) to go forward and expand, than to take a
precautionary approach using more current science and reduce or
eliminate fishing in the area to save the last 1,000 western Aleutian
Islands Steller sea lions.
Response: NMFS analyzed an alternative in the EIS, Alternative 6,
that would prohibit retention of Atka mackerel, Pacific cod, and
pollock in the Aleutian Islands (Areas 543, 542, and 541, and adjacent
State of Alaska waters). The economic impacts of Alternative 6 are
detailed in EIS Chapter 8. The impacts of Alternative 6 on Steller sea
lions are detailed in EIS Chapter 5. NMFS did not choose Alternative 6
as the preferred alternative because while Alternative 6 would provide
the most protection to Steller sea lion prey species, it is not
practicable because it would restrict fisheries beyond what is
necessary to meet the ESA requirement to insure the fisheries are not
likely to jeopardize the continued existence of Steller sea lions or
destroy or adversely modify designated Steller sea lion critical
habitat. Therefore, Alternative 6 would not best meet the purpose and
need for this action (see Section 1.3 of the EIS).
Comment 49: NMFS has failed to consider reasonable alternatives
that would provide additional protections for Steller sea lions.
Instead of constructing and evaluating an alternative that would
provide improved protections for Steller sea lions, NMFS evaluated
closing the entire action area to all fishing. Alternative 6 is not
responsive to the concerns raised in comments or sufficient to satisfy
NMFS' legal obligations. Public comments did not propose closing the
entire Aleutian Islands to all fishing for Atka mackerel, Pacific cod,
and pollock. A large closure might be a reasonable alternative, but it
is not a mechanism through which NMFS can improve fisheries management
choices in such a way as to better ensure that ecosystem
considerations, like the needs of predators, are taken into
consideration in setting catch levels. It appears that, upon
recognizing the glaring deficiency in its draft, NMFS decided to select
the most extreme version of a protective alternative rather than giving
careful thought to a useful evaluation of potential changes in
management. NMFS' choice is both disappointing and insufficient.
Response: Alternative 6 was designed to be responsive to the
request in public comment on the draft EIS for a more protective
alternative than Alternative 1. Some commenters suggested that NMFS
consider specific measures that were intended to be more protective
than the management measures implemented under Alternative 1, other
commenters did not provide specific measures. As discussed in EIS
Section 2.3, after careful analysis, NMFS found that many of the
specific measures suggested in public comments were not more
conservative than Alternative 1. Some of the specific measures
suggested in public comments were already incorporated in the
alternatives or in other ongoing NMFS actions. The remaining specific
measures proposed in public comment were not a reasonable alternative
to the proposed action. The proposed action is a suite of Steller sea
lion protection measures. Steller sea lion protection measures control
the location, gear type, and timing of fishing for Atka mackerel,
pollock, and Pacific cod in the Aleutian Islands. A number of the
specific measures proposed in public comments would not control the
location, gear type, and timing of fishing for Atka mackerel, pollock,
and Pacific cod in the Aleutian Islands (see EIS Section 2.3 for more
detail). And, as explained in the response to Comment 59, NMFS is
already working to ensure that ecosystem considerations, like the needs
of predators, are taken into consideration in setting catch levels.
NMFS carefully designed Alternative 6 to be a Steller sea lion
protection measure that is more conservative than Alternative 1 and
provides for effects that can be analyzed and compared to the other
alternatives. Further, Alternative 6 does not close the action area to
all fishing. As explained in EIS Section 2.1.6, Alternative 6 would
prohibit retention of Atka mackerel, Pacific cod, and pollock in the
Aleutian Islands, species identified as important prey species for
Steller sea lions. Vessels would be prohibited from directed fishing
for these species and prohibited from retaining any incidental catch of
these species while directed fishing for other groundfish targets
(e.g., Pacific ocean perch).
Comment 50: NMFS' addition of Alternative 6 to the final EIS
required a supplemental draft EIS because Alternative 6 is outside of
the range of alternatives analyzed in the draft EIS. The most
environmentally protective alternative included in the draft EIS was
Alternative 1, while Alternatives 2, 3, 4, and 5 all allow more
fishing. The draft EIS specifically stated that alternatives more
protective than the status quo were not analyzed. Alternative 6 was
specifically added to the final EIS to have an alternative that is more
restrictive of fishing relative to Alternative 1 for analysis and
comparison with the less restrictive protection measures under the
other alternatives. Because Alternative 6 represents an outlier
alternative that may not be offered for the first time in the EIS, NMFS
must refrain from issuing a record of decision and issue a supplemental
draft EIS--subject to public notice and comment--instead. In addition
to Alternative 6, the supplemental draft EIS should analyze the other
feasible conservation alternatives identified in public comments.
Response: A supplement to an environmental impact statement is
required ``if: (i) The agency makes substantial changes in the proposed
action that are relevant to environmental concerns; or (ii) There are
significant new circumstances or information relevant to environmental
concerns and bearing on the proposed action or its impacts'' (40 CFR
1502.9(c)). The addition of Alternative 6 in the final EIS did not make
substantial changes in the proposed action that were relevant to
environmental concerns and did not provide significant new
circumstances or information relevant to environmental concerns and
bearing on the proposed action or its impacts. Therefore NMFS was not
required to supplement the draft EIS before releasing the final EIS and
record of decision. Additionally, EIS Section 2.3 analyzes the
conservation alternatives identified in public comments and explains
why they were not reasonable.
Comment 51: NMFS should rescind the EIS and prepare a new draft EIS
that--consistent with NMFS' acknowledged obligations pursuant to NEPA,
ESA, and the Magnuson-Stevens Act--includes a lawful statement of
purpose and need, evaluates a full range of alternatives, objectively
accounts for the full context and severity of the potential indirect
effects of fishing on Steller sea lions, and transparently addresses
dissenting scientific views within NMFS.
Response: NMFS disagrees. NMFS has determined that the EIS is
consistent with NEPA, the ESA, and the Magnuson-Stevens Act. The EIS
includes a lawful statement of purpose and need (Section 1.3),
evaluates a full range of alternatives (Chapter 2), objectively
accounts for the full context and severity of the potential indirect
effects of fishing on Steller sea lions (Chapter 5), and transparently
addresses dissenting scientific views (Executive Summary, Chapter 1,
and Chapter 5).
[[Page 70306]]
Comment 52: NMFS made a passing attempt in the EIS at exploring the
effects of an alternative harvest strategy for Atka mackerel on the
Atka mackerel population. In concert with explicitly considering
current predation mortality and the projected predation mortality from
an increasing Steller sea lion population, such a model could begin to
formally address ecosystem concerns. NMFS, however, failed to analyze
such an alternative model structure.
Response: As explained in EIS Section 2.3, evaluations of
alternative stock assessment model structures and alternative harvest
strategies do not meet the purpose and need for this action to
implement Steller sea lion protection measures. The commenter's
recommendation addresses the stock assessment process used by the
Council and NMFS on an annual basis. NMFS conducts this work through
the annual harvest specification process. That process is explained in
the final rule that implements the annual final 2014 and 2015 harvest
specifications (79 FR 12108, March 4, 2014).
NMFS notes that the process for modifying fishery stock assessment
models for Atka mackerel or any other groundfish species does not
require rulemaking to develop, analyze, or implement alternative model
structures. NMFS continues to develop techniques to evaluate the
effects of the groundfish fisheries and management system on the
ecosystem. NMFS continues to develop state-of-the-art ecosystem models
with a goal to better evaluate risks to ecosystem given current and
alternative harvest strategies. This scientific work is ongoing and,
while important to groundfish fishery management, it is outside the
scope of this rulemaking process. This action implements regulations to
restrict vessels from fishing in specific areas and at specific times
to limit competition of prey resources with Steller sea lions.
Comment 53: NMFS should not consider only changes to the
restrictions on fishing times and areas under the Steller sea lion
protection measures. Any of the guidelines that affect fisheries that
compete with Steller sea lions should be subject to review in this
process. Public comments on the draft EIS suggested measures intended
to provide a starting place from which NMFS could construct such an
alternative. NMFS incorrectly rejected any ideas designed to alter or
affect the harvest strategy in the Aleutian Islands.
Response: NMFS has considered more than changes to the time and
area measures. NMFS also considered a range of harvest limits. This
final rule implements harvest limits for the Atka mackerel, Pacific
cod, and pollock fisheries in addition to the season and area closures.
In EIS Section 2.3, NMFS analyzed the ideas suggested in public
comments to change the harvest strategy in the Aleutian Islands. NMFS
explains that changes to the harvest strategy are outside the scope of
this action and do not meet the purpose and need. The revisions to the
harvest strategy proposed in public comment would not provide the
necessary protections for Steller sea lions. Revisions to the harvest
strategy recommended by the commenter do not meet the purpose and need
for the action because they do not provide additional protections for
Steller sea lions by reducing potential competition between Steller sea
lions and fishery harvests when and where Steller sea lions forage. As
explained throughout the EIS, the Steller sea lion protection measures
are a suite of measures that regulates fishing activity by applying
seasons, area closures, and harvest limits all with the goal of
reducing potential fishery competition for Steller sea lion prey when
and where Steller sea lions forage.
NMFS is continually striving to understand the prey requirements of
Steller sea lions and minimize potential competition at the finest
scale possible with the best available information. Further, NMFS does
not change stock assessment methods or harvest strategy through
regulations. The Council and NMFS are continually assessing the
scientific methods used for stock assessment. NMFS uses the best
available scientific information to improve stock assessment methods
and evaluate ecosystem considerations. An example of this is the
decision to establish separate ABCs and TACs for Pacific cod in the
Bering Sea and Aleutian Islands. Starting in January 2014, as
recommended by the Council and based on genetic and other morphological
evidence, NMFS separated Aleutian Islands Pacific cod from the Bering
Sea Pacific cod stock. This results in lower maximum potential catches
in the Aleutian Islands due to the establishment of separate OFLs,
ABCs, and TACs in the Bering Sea and Aleutian Islands. With this split,
the TAC in the Aleutian Islands results in a maximum harvest of roughly
half the previous average harvest rate in the Aleutian Islands prior to
the split, and lower fishing mortality rates, than those proposed by
the commenter. The impacts of the implementation of an Aleutian Islands
Pacific cod TAC are discussed in EIS Section 3.3, however, that action
was separate from the action implemented in this final rule.
Comment 54: In Section 2.3.2 of the EIS, NMFS incorrectly concludes
that predator needs are fully incorporated into the existing process
for setting catch levels. This statement is belied by jeopardy and
adverse modification conclusions reached in NMFS' previous biological
opinions for Steller sea lions--if the needs of Steller sea lions were
properly accounted for in setting catch levels, then that catch would
not result in jeopardy to the population or adverse modification of
critical habitat. NMFS' insistence that the needs of predator are
incorporated in the harvest specifications process is contrary to NMFS'
own identified gaps in applying ecosystem-based fisheries management.
There is currently no explicit accounting of predation mortality in the
stock assessments for Atka mackerel, Aleutian Islands pollock, or
Aleutian Islands Pacific cod. The natural mortality parameters used in
these models are constant, or change little from year to year. The
parameters used have little relation to trends in predator populations
or the actual level of predation. In contrast, when predation mortality
is explicitly considered in prey population models, the biological
reference points generated are generally more conservative (i.e.,
recommend higher standing biomass). Moreover, development of a process
through which to account explicitly for predator needs was considered
in the draft 2010 FMP BiOp. This draft also called for a process to
address the dietary needs of sea lions and other predators as fishing
levels are set. Accounting fully for predator needs in setting catch
levels would be an important step toward ecosystem-based management,
and this NEPA process is an appropriate venue through which to do so
explicitly.
Response: NMFS disagrees with the comment's characterization of the
EIS. In Section 2.3.2, NMFS explains that the needs of predators are
incorporated in the harvest specifications process by applying natural
mortality (including predation) for a target species stock assessment.
Additionally, NMFS scientists are evaluating the current groundfish
management system relative to the impact on the ecosystem. NMFS
scientists have developed multispecies models that explicitly
incorporate predator/prey relationships. Results from these models have
generally concluded that the assumptions used for harvest limit
recommendations under our existing stock assessment process are
generally conservative.
NMFS scientists have compared using a constant, time-invariant
natural mortality in stock assessment models to using models in which
natural mortality
[[Page 70307]]
includes time- (and age-) varying estimates of predation mortality
(Hollowed, A. B., J. N. Ianelli, and P. A. Livingston. 2000. Including
predation mortality in stock assessments: A case study involving Gulf
of Alaska walleye pollock. ICES Journal of Marine Science, 57, pp. 279-
293). These and other studies indicate that estimates are uncertain and
in such cases, using a natural mortality that is more conservative is
more risk averse (Clark, W.G. 1999. Effects of an erroneous natural
mortality rate on a simple age-structured model. Can. J. Fish. Aquat.
Sci. 56:1721-1731).
NMFS' ongoing scientific work to evaluate predator/prey
relationships and develop multispecies models is separate from the
rulemaking process NMFS conducted for this final rule to restrict
vessels from fishing in specific areas and at specific times to limit
potential competition with Steller sea lions.
NMFS disagrees with the comment's characterization of the previous
biological opinions. As explained in the EIS and all previous BiOps,
NMFS' concern has been the potential competition of fisheries with
Steller sea lions for prey when and where Steller sea lions forage.
NMFS has imposed Steller sea lion protection measures that include
seasonal restrictions, area closures, and catch limits with the goal of
reducing the potential of fisheries to affect Steller sea lion foraging
opportunities. These are coupled with fine-scale fishery evaluations
following the surgical approach outlined in the 2008 Recovery Plan, the
2010 FMP BiOp, the 2014 BiOp, and the latest information regarding sea
lion behavior and prey resources as described in EIS Chapters 3 and 5.
Implementing the Steller sea lion protection measures that regulate
fishing activity, as is being done by this final rule, is a separate
action from NMFS' ongoing scientific work to understand and model
predator/prey relationships and evaluate the impacts of fish harvest on
the ecosystem using the latest scientific techniques.
Comments on Additional Issues
Comment 55: The Council and NMFS have taken significant steps to
move toward holistic, ecosystem-based management. Continue that
momentum by seeking a durable, consensus-based resolution to
controversies about the interaction between industrial fisheries and
sea lions. Instead, the Council has suggested and NMFS has adopted new
measures certain to continue the controversy and poor management. Those
choices are disappointing and potentially illegal.
Response: The Council and NMFS seek consensus-based resolutions
where possible, and when such resolutions are consistent with legal
requirements. However, the Council and NMFS recognize that
controversial issues such as the potential interaction between
commercial fisheries and Steller sea lions--a subject of substantial
scientific debate (see EIS Executive Summary)--are rarely resolved by
consensus. Furthermore, Section 302(e) of the Magnuson-Stevens Act
requires that all Council decisions be made by majority vote,
recognizing the fact that not all controversies or policy choices can
be resolved by consensus.
The fact that NMFS is implementing regulations that the commenter
disagrees with is not a basis to conclude that they represent poor
management or are illegal.
Comment 56: Please do not allow any more fishing that would in any
way impact Steller sea lions. We humans take too much as it is. And we
have alternatives like a vegan diet, as well as eco-tourism to make
money off these sea lions over and over again by charging people to
observe them. Keep the current fishing restrictions in place, and keep
in mind that the population of these sea lions has not recovered. Show
some backbone for your convictions and do not cave in to fishing
interests' pressure.
Response: NMFS acknowledges the comment.
Comment 57: Closing areas to commercial fishing and enforcing these
closures is the only way to protect Steller sea lions from the firearms
of commercial fishermen.
Response: NMFS has worked closely with the Council and the State of
Alaska to eliminate illegal shooting of Steller sea lions. EIS Section
5.3.4 provides additional information on the occurrence of illegal
shooting. Closing commercial fishing is not required to eliminate
illegal shooting.
Comment 58: As fishermen in these waters, we are appalled that some
public comments indicate fishermen evoke actions intended to harm
Steller sea lions. At no time do we ever harass marine mammals.
Response: NMFS acknowledges the comment.
Comment 59: Are you telling the public to go to an inaccurate site
in your Federal Register notice to stifle public comment?
Response: NMFS encourages public comment. NMFS checked all of the
Web sites in the Federal Register notice for the proposed rule (79 FR
37486) and they are all correct, including the instructions for
submitting comments on https://www.regulations.gov. Additionally, the
Federal Register notice provides instructions for the public to mail
written comments to the Sustainable Fisheries Division, NMFS Alaska
Region.
Classification
Pursuant to section 305(d) of the Magnuson-Stevens Act, the NMFS
Assistant Administrator has determined that this final rule is
consistent with the FMP, other provisions of the Magnuson-Stevens Act,
and other applicable law.
This final rule has been determined to be not significant for the
purposes of Executive Order (E.O.) 12866.
Formal consultation under section 7 of the ESA was completed for
this action. On April 2, 2014, NMFS issued a biological opinion (2014
BiOp) on the action. The 2014 BiOp found that the implementation of the
action and supporting research described in Chapter 11 of the EIS were
not likely to jeopardize the continued existence of endangered Steller
sea lions or result in the destruction or adverse modification of their
critical habitat.
NMFS prepared a final EIS for this action. The final EIS was filed
with the Environmental Protection Agency on May 16, 2014. A notice of
availability was published on May 23, 2014 (79 FR 29759). In approving
this action, NMFS issued a Record of Decision identifying the selected
alternative. A copy of the Record of Decision is available from NMFS
(see ADDRESSES).
Pursuant to Executive Order 13175, NMFS mailed letters to
approximately 660 Alaska tribal governments, Alaska Native Claims
Settlement Act (ANCSA) corporations, and related organizations
providing information about the EIS and soliciting consultation and
coordination with interested tribal governments and ANCSA corporations.
NMFS received no comments on the EIS from tribal governments or ANCSA
corporation representatives. Section 1.7 of the EIS provides more
detail on NMFS' outreach with Alaska tribal governments and ANCSA
corporations (see ADDRESSES). NMFS received one comment on the proposed
rule from Kawerak, Inc., a regional non-profit tribal consortium of the
Bering Strait Region. NMFS summarized and responded to this comment
under Response to Public Comments, above (see Comment 12). NMFS
received one comment from Aleut Enterprise, LLC, a wholly owned
subsidiary of the Aleut Corporation. NMFS summarized and responded to
this comment under
[[Page 70308]]
Response to Public Comments, above (see Comments 10, 11, 43, and 44).
Final Regulatory Flexibility Analysis
This final regulatory flexibility analysis (FRFA) incorporates the
IRFA, a summary of the significant issues raised by the public comments
in response to the IRFA, and NMFS responses to those comments, and a
summary of the analyses completed to support the action.
Section 604 of the Regulatory Flexibility Act requires that, when
an agency promulgates a final rule under section 553 of Title 5 of the
U.S. Code, after being required by that section or any other law to
publish a general notice of proposed rulemaking, the agency shall
prepare a FRFA. Section 604 describes the required contents of a FRFA:
(1) A statement of the need for, and objectives of, the rule; (2) a
statement of the significant issues raised by the public comments in
response to the initial regulatory flexibility analysis, a statement of
the assessment of the agency of such issues, and a statement of any
changes made in the proposed rule as a result of such comments; (3) the
response of the agency to any comments filed by the Chief Counsel for
Advocacy of the Small Business Administration (SBA) in response to the
proposed rule, and a detailed statement of any change made to the
proposed rule in the final rule as a result of the comments; (4) a
description of and an estimate of the number of small entities to which
the rule will apply or an explanation of why no such estimate is
available; (5) a description of the projected reporting, recordkeeping
and other compliance requirements of the rule, including an estimate of
the classes of small entities which will be subject to the requirement
and the type of professional skills necessary for preparation of the
report or record; and (6) a description of the steps the agency has
taken to minimize the significant economic impact on small entities
consistent with the stated objectives of applicable statutes, including
a statement of the factual, policy, and legal reasons for selecting the
alternative adopted in the final rule and why each one of the other
significant alternatives to the rule considered by the agency which
affect the impact on small entities was rejected.
Need for, and Objectives of, the Rule
A statement of the need for, and objectives of, the rule is
contained on pages 4 through 10 of the preamble to this final rule and
is not repeated here.
Public and Chief Counsel for Advocacy Comments on the Proposed Rule
NMFS published a proposed rule on July 1, 2014 (79 FR 37486). An
initial regulatory flexibility analysis (IRFA) was prepared and
summarized in the ``Classification'' section of the preamble to the
proposed rule. The comment period closed on August 15, 2014. NMFS
received 17 letters of public comment on the proposed rule. No comments
were received on the IRFA, or on the small entity impacts of this rule.
The Chief Counsel for Advocacy of the SBA did not file any comments on
the proposed rule.
Number and Description of Small Entities Regulated by the Action
The small entity estimates reported in the IRFA for this action
have been reviewed for compliance with subsequent inflation adjustments
to SBA thresholds for identifying small entities (79 FR 33647, June 12,
2014). The change in thresholds did not lead to changes in the small
entity estimates.
NMFS identified three groups of entities that would be directly
regulated by this action: (1) Federally-permitted vessels that harvest
Atka mackerel, Pacific cod, and pollock in the Aleutian Islands; (2)
CDQ groups that receive an allocation of Atka mackerel, Pacific cod,
and pollock in the Aleutian Islands; and (3) the Aleut Corporation,
which receives an allocation of pollock in the Aleutian Islands. The
following paragraphs provide estimates of the numbers of small entities
in these three categories that are directly regulated by this action.
NMFS estimates that 26 vessels, and the six CDQ groups, are directly
regulated small entities.
NMFS identified 51 vessels active in directed fisheries for Atka
mackerel or Pacific cod in 2010 that would have been directly regulated
by this action. Twelve vessels--one catcher/processor and 11 catcher
vessels--were believed to be small entities. One of these vessels was a
pot catcher/processor, and the remaining vessels were trawl catcher
vessels. The estimated average gross revenue from the identified small
entities, in 2012 (the most recent year with complete revenue
information), was about $1.4 million. Note that firm revenues may have
been larger, if these firms had revenues from sources other than the
identified vessels. If this was the case, average gross revenues for
small entities may be underestimated or the number of small entities
might be overestimated, and the direction of the impact on average
revenue for the remaining vessels would be unknown. The remaining 39
vessels that directly targeted Atka mackerel, Pacific cod, or pollock
in the Aleutian Islands in 2010 were classified as large entities since
their gross revenues, or their gross revenues and those of their
affiliated entities, exceeded the SBA threshold of $20.5 million. The
IRFA details the process used to determine if a vessel was affiliated
with other businesses and is not repeated here.
In addition to vessels in directed fisheries, NMFS identified 20
vessels with incidental catches of Atka mackerel or Pacific cod in Area
543 that are directly regulated by this action. Alternative 1, the
status quo, prohibits retention of Atka mackerel or Pacific cod in Area
543. This comprehensive prohibition on retention is relaxed under this
action, the preferred alternative. This prohibition directly regulates
vessels that would otherwise have retained these species in Area 543.
Thus, the preferred alternative directly regulates these vessels in
this area. Only small numbers of vessels took incidental catches of
these species in Area 543 during the baseline years. Over the entire
baseline period, from 2004 through 2010, only six separate fixed gear
catcher/processors or trawl catcher vessels were identified with
incidental catches of Atka mackerel and/or Pacific cod from 2004
through 2010. None of these is believed to be a small entity based on a
knowledge of vessel affiliations. Fourteen fixed gear catcher vessels
had incidental catches during the same years. All of these are
considered to be small entities based on a review of their gross
revenues from all sources, and their affiliations. None of these
vessels fished all years; the median number of years fishing in Area
543 for a vessel in this group during the baseline period was two
years. The aggregate fixed gear catcher vessel revenues from Area 543
for these vessels are estimated to average about $11,300 a year in real
2012 dollars, during the baseline years (2004 through 2010). Average
revenues per vessel-year from this source are estimated to be about
$2,200.
Through the CDQ program, the Council and NMFS allocate a portion of
the BSAI groundfish TACs, and apportion prohibited species catch limits
for Pacific halibut, Pacific salmon, and several crab species, to 65
eligible Western Alaska communities. These communities work through six
non-profit CDQ groups, and are required to use the net proceeds from
the CDQ allocations to start or support activities that will result in
ongoing, regionally based, commercial fishery or related businesses.
The six CDQ groups receive allocations through the specifications
[[Page 70309]]
process, and are directly regulated by this action, but the 65
communities are not directly regulated. Because they are explicitly
defined as small nonprofit entities within the Regulatory Flexibility
Act, the six CDQ groups are considered small entities for purposes of
this analysis.
The Aleut Corporation receives all of the pollock directed fishing
allocation in Areas 541, 542, and 543. The Aleut Corporation is an
ANCSA corporation, and is a holding company evaluated according to the
SBA criteria at 13 CFR 121.201, using a $7 million gross annual
receipts threshold for ``Offices of Other Holding Companies'' (NAICS
code 551112). As noted, in Table 8-39 of Chapter 8 of the EIS, Aleut
Corporation revenues exceed this threshold (gross revenues were about
$159 million in 2010), and the Aleut Corporation is considered to be a
large entity for purposes of this analysis.
Recordkeeping and Reporting Requirements
This action would implement new recordkeeping and reporting
requirements by requiring an increase in VMS polling rates for all
trawl vessels named on a Federal Fishing Permit under Sec. 679.4(b)
and fishing for groundfish that is deducted or required to be deducted
from a Federal groundfish TAC in the Aleutian Islands subarea. Some
operations may have to upgrade existing VMS equipment, and all will
have to increase transmission rates. The owner of the trawl vessel must
ensure NMFS receives the transmission from the VMS unit at least 10
times per hour. This measure does not apply to fixed gear vessels,
thus, from the discussion above, it may affect as many as 11 small
trawl catcher vessel entities. The costs of this requirement are
discussed in the Collection-of-Information section of this final rule,
and are incorporated by reference here. In summary, all trawl catcher
vessels will incur additional transmission costs estimated to be about
$400 a year, and some may be required to upgrade their VMS equipment at
a cost estimated to be about $3,500.
Description of Significant Alternatives to the Final Action That
Minimize Adverse Impacts on Small Entities
A FRFA must describe the steps the agency has taken to minimize the
significant economic impact on small entities consistent with the
stated objectives of applicable statutes, including a statement of the
factual, policy, and legal reasons for selecting the alternative
adopted in the final rule and why each one of the other significant
alternatives to the rule considered by the agency that affect the
impact on small entities was rejected.
At its October 2013 meeting, the Council adopted Alternative 5.
This alternative is described in detail in Chapter 2 of the EIS.
Section 8.13.1 of the EIS and Section 1.13.1 of the Regulatory Impact
Review (RIR) provide an analysis of Alternative 5, while Section 8.20
of the EIS, and Section 1.14 of the RIR compare Alternative 5 to the
other alternatives for affected fleets. This FRFA describes the impacts
of Alternative 5 relative to other alternatives for Atka mackerel,
Pacific cod, and pollock fisheries.
The elements of Alternative 5 that regulate the Atka mackerel
fishery are slightly more restrictive than those in Alternatives 3 and
4, and are less restrictive than those in Alternatives 1, 2, and 6.
For the Atka mackerel fishery, Alternative 5 is most comparable to
Alternative 3. Alternatives 3 and 5 are the same in Areas 541 and 542.
They differ in Area 543 in that Alternative 3 closes certain waters
around Buldir Island explicitly, while Alternative 5 does not. However,
Alternative 5 sets an Area 543 TAC limit equal to 65 percent of ABC and
that limit is not included in Alternative 3. On balance, from
information during the baseline years, Alternative 5 may be somewhat
more restrictive in Area 543 than Alternative 3. However, the
Alternative 5 TAC limit in Area 543 is included to prevent excessive
harvest of Atka mackerel prey resources near Steller sea lion haulouts
and rookeries.
For the Atka mackerel fishery, Alternative 4 is also less
restrictive than Alternative 5. However, the Council did not recommend
and NMFS did not select Alternative 4 as its preferred alternative.
Alternative 4 measures were found to result in jeopardy and adverse
modification of critical habitat for the Steller sea lions in the 2010
FMP BiOp. Alternative 5 provides more protection for Steller sea lions
in Area 543, where population declines have been larger than in Areas
541 and 542. Alternative 5 was selected over other less restrictive
alternatives to insure that Atka mackerel fisheries in the BSAI are not
likely to jeopardize the continued existence of endangered Steller sea
lions or destroy or adversely modify their designated critical habitat.
The elements of Alternative 5 that regulate the Aleutian Islands
Pacific cod fishery are slightly more restrictive than those in
Alternative 4, and are less restrictive than those in Alternatives 1,
2, 3, and 6. For Pacific cod, Alternative 5 is most closely comparable
to Alternative 4. However, Alternative 4 may be less restrictive to
small entities, since Alternative 5 adds a catch limit for Pacific cod
in Area 543 that limits area catch in proportion to the annual stock
assessment. Alternative 5 was selected over the less restrictive
Alternative 4 to insure that Pacific cod fisheries in the BSAI are not
likely to jeopardize the continued existence of endangered Steller sea
lions or destroy or adversely modify their designated critical habitat.
NMFS notes that Alternative 5 was selected with the clear understanding
that the Aleutian Islands Pacific cod will be managed as a separate
stock from the Bering Sea Pacific cod, which limits the amount of catch
from the Aleutian Islands relative to the baseline harvests analyzed.
The elements of Alternative 5 that regulate the Aleutian Islands
pollock fishery are slightly more restrictive than those in
Alternatives 3 and 4 (Alternatives 3 and 4 are identical in their
management of the pollock fishery). Alternative 5 differs from
Alternatives 3 and 4 only in that it includes management area specific
A season catch limits, and increases critical habitat closures in Area
542. The A season catch limits are 5 percent of the ABC in Area 543, 15
percent of the ABC in Area 542, and 30 percent of the ABC in Area 543.
Alternative 5 is less restrictive than Alternatives 1, 2, and 6.
The area constraints on pollock fishing contained in Alternative 5
are not present in Alternatives 3 and 4. Thus, those alternatives may
be somewhat less restrictive than Alternative 5. Management area limits
were introduced to provide control over potential harvests in a new
pollock fishery of unknown potential and, thus, to provide more
protection for Steller sea lions. These restrictions are more stringent
in the western areas, where Steller sea lions are not doing as well as
in the east (this is consistent with the performance standards in the
2010 FMP BiOp). The extension of the 542 closure areas, west of
178[deg] W longitude, to 20 nm under Alternative 5, may also contribute
to making this alternative more restrictive than Alternatives 3 and 4.
The extension was also included in Alternative 5 to provide more
protection to Steller sea lion prey species occurring near rookeries
and haul-outs that have experienced relatively greater declines in
populations. Alternative 5 was selected over other less restrictive
alternatives to insure that pollock fisheries in the BSAI are not
likely to jeopardize the continued existence of endangered Steller sea
lions or destroy or adversely modify their designated critical habitat.
[[Page 70310]]
Small Entity Compliance Guide
NMFS has posted a small entity compliance guide on the NMFS Alaska
Region Web site (https://alaskafisheries.noaa.gov/sustainablefisheries/sslpm/) to satisfy the Small Business Regulatory Enforcement Fairness
Act of 1996, which requires a plain language guide to assist small
entities in complying with this rule. Contact NMFS to request a hard
copy of the guide (see ADDRESSES).
Collection-of-Information Requirements
This rule contains collection-of-information requirements subject
to the Paperwork Reduction Act (PRA) and which have been approved by
the Office of Management and Budget (OMB). The collections of
information are listed below by OMB control number.
OMB Control No. 0648-0206
The Federal Fisheries Permit (FFP) is mentioned in the regulatory
text of this rule, but no changes are made to the application form.
OMB Control No. 0648-0445
Public reporting burden is estimated to average 4 hours per
response for the Vessel Monitoring System (VMS) operation (includes
installation, transmission, and maintenance). Estimates of burden
include the time for reviewing instructions, searching existing data
sources, gathering and maintaining the data needed, and completing and
reviewing the collection of information. Send comments on these or any
other aspects of the collection of information to NMFS at the ADDRESSES
above, and email to OIRA Submission@omb.eop.gov, or fax to 202-395-
5806.
This rule increases the number of transmissions or VMS polling
rate, from 2 per hour to 10 per hour when a vessel is using trawl gear
to fish in the Aleutian Islands; however, VMS transmissions are not
counted as burden, because they are automatic. Some vessels may incur
additional operating costs due to the increase in the VMS polling rate,
or they may have to replace existing VMS units to meet the polling rate
and reliability requirements. NMFS estimates that the increase in the
polling rate will increase VMS costs by about $400 per year for trawl
catcher vessels and catcher/processors operating in the Aleutian
Islands, except for trawl catcher/processors targeting Atka mackerel.
Trawl catcher/processors targeting Atka mackerel are expected to incur
costs of about $1,200 per year; however, these are all large entities.
Although all vessels are required to have an FFP, and all vessels
fishing in the Aleutian Islands are required to have and operate VMS,
some of the impacted vessels may have to replace existing VMS units to
meet the polling rate and reliability requirements. While NMFS is
unable to estimate the number of entities that may be required to
replace VMS units to provide the required unit reliability, the
estimated cost for an additional unit is about $3,500 (including
installation).
Estimates of burden include the time for reviewing instructions,
searching existing data sources, gathering and maintaining the data
needed, and completing and reviewing the collection of information.
Send comments on these or any other aspects of the collection of
information to NMFS at the ADDRESSES above, and email to OIRA
Submission@omb.eop.gov, or fax to 202-395-5806.
Notwithstanding any other provision of the law, no person is
required to respond to, nor shall any person be subject to a penalty
for failure to comply with, a collection of information subject to the
requirements of the PRA, unless that collection of information displays
a currently valid OMB control number. All currently approved NOAA
collections of information may be viewed at: https://www.cio.noaa.gov/services_programs/prasubs.html.
List of Subjects
15 CFR Part 902
Reporting and recordkeeping requirements.
50 CFR Part 679
Alaska, Fisheries, Reporting and recordkeeping requirements.
Dated: November 18, 2014.
Eileen Sobeck,
Assistant Administrator for Fisheries, National Marine Fisheries
Service.
For the reasons set out in the preamble, NMFS amends 15 CFR part
902 and 50 CFR part 679 as follows:
Title 15--Commerce and Foreign Trade
PART 902--NOAA INFORMATION COLLECTION REQUIREMENTS UNDER THE
PAPERWORK REDUCTION ACT: OMB CONTROL NUMBERS
0
1. The authority citation for part 902 continues to read as follows:
Authority: 44 U.S.C. 3501 et seq.
0
2. In Sec. 902.1, in the table in paragraph (b), under the entry ``50
CFR'':
0
a. Add an entry in alphanumeric order for ``679.22(a)''; and
0
b. Revise the entry for 679.28(f).
The addition and revision read as follows:
Sec. 902.1 OMB control numbers assigned pursuant to the Paperwork
Reduction Act.
* * * * *
(b) * * *
------------------------------------------------------------------------
Current OMB control number
CFR part or section where the information (all numbers begin with 0648-
collection requirement is located )
------------------------------------------------------------------------
* * * * *
50 CFR:
* * * * *
679.22(a)................................. -0206
* * * * *
679.28(f)................................. -0206, -0445
* * * * *
------------------------------------------------------------------------
Title 50--Wildlife and Fisheries
PART 679--FISHERIES OF THE EXCLUSIVE ECONOMIC ZONE OFF ALASKA
0
3. The authority citation for part 679 continues to read as follows:
Authority: 16 U.S.C. 773 et seq.; 1801 et seq.; 3631 et seq.;
Pub. L. 108-447.
0
4. In Sec. 679.7:
0
a. Remove paragraphs (a)(19), (a)(23), and (a)(25);
0
b. Redesignate paragraph (a)(24) as paragraph (a)(19); and
0
c. Revise the newly redesignated paragraph (a)(19).
The revisions read as follows:
Sec. 679.7 Prohibitions.
(a) * * *
(19) Atka mackerel directed fishing in the Bering Sea reporting
areas. Conduct directed fishing for Atka mackerel in the Bering Sea
subarea and adjacent State waters with a vessel required to be
Federally permitted.
* * * * *
0
5. In Sec. 679.20:
0
a. Add paragraphs (a)(5)(iii)(B)(6), and (a)(7)(v);
0
b. Revise paragraph (a)(8)(ii)(C); and
0
c. Add paragraphs (a)(8)(ii)(D) and (e)(3)(v).
The additions and revisions read as follows:
Sec. 679.20 General limitations.
(a) * * *
(5) * * *
(iii) * * *
(B) * * *
(6) Pollock harvest limitations. Pollock harvests during the A
season as defined at Sec. 679.23(e)(2) are limited to:
(i) No more than 5 percent of the Aleutian Islands pollock ABC in
Area 543.
[[Page 70311]]
(ii) No more than 15 percent of the Aleutian Islands pollock ABC in
Area 542.
(iii) No more than 30 percent of the Aleutian Islands pollock ABC
in Area 541.
* * * * *
(7) * * *
(v) ITAC allocation to the Amendment 80 sector. A percentage of the
Pacific cod TAC, after subtraction of the CDQ reserve, will be
allocated as ITAC to the Amendment 80 sector as described in Table 33
to this part. Separate allocations for each Amendment 80 cooperative
and the Amendment 80 limited access fishery are described under Sec.
679.91. The allocation of Pacific cod to the Amendment 80 sector will
be further divided into seasonal apportionments as described under
paragraph (a)(7)(iv)(A)(1)(ii) of this section.
(A) Use of seasonal apportionments by Amendment 80 cooperatives.
(1) The amount of Pacific cod listed on a CQ permit that is assigned
for use in the A season may be used in the B or C season.
(2) The amount of Pacific cod that is listed on a CQ permit that is
assigned for use in the B season may not be used in the A season.
(3) The amount of Pacific cod listed on a CQ permit that is
assigned for use in the C season may not be used in the A or B seasons.
(B) Harvest of seasonal apportionments in the Amendment 80 limited
access fishery. (1) Pacific cod ITAC assigned for harvest by the
Amendment 80 limited access fishery in the A season may be harvested in
the B or C seasons.
(2) Pacific cod ITAC assigned for harvest by the Amendment 80
limited access fishery in the B season may not be harvested in the A
season.
(3) Pacific cod ITAC assigned for harvest by the Amendment 80
limited access fishery in the C season may not be harvested in the A or
B seasons.
(vi) ITAC rollover to Amendment 80 cooperatives. If during a
fishing year, the Regional Administrator determines that a portion of
the Pacific cod TAC is unlikely to be harvested and is made available
for reallocation to the Amendment 80 sector according to the provisions
under paragraph (a)(7)(iii) of this section, the Regional Administrator
may issue inseason notification in the Federal Register that
reallocates that remaining amount of Pacific cod to Amendment 80
cooperatives, according to the procedures established under Sec.
679.91(f).
(vii) Pacific cod harvest limitations. During the annual harvest
specifications process, the Regional Administrator will establish an
Area 543 Pacific cod harvest limit based on Pacific cod abundance in
Area 543 as determined by the annual stock assessment process. NMFS
will first subtract the State GHL Pacific cod amount from the AI
Pacific cod ABC. Then NMFS will determine the harvest limit in Area 543
by multiplying the percentage of Pacific cod estimated in Area 543 by
the remaining ABC for AI Pacific cod.
(8) * * *
(ii) * * *
(C) Atka mackerel harvest limitations. (1) Atka mackerel catch
within waters 0 nm to 20 nm of Steller sea lion sites listed in Table 6
to this part and located west of 178[deg] W longitude is:
(i) Limited to no more than 60 percent of the annual TACs in Areas
542 and 543; and
(ii) Equally divided between the A and B seasons as defined at
Sec. 679.23(e)(3).
(2) The annual TAC in Area 543 will be no more than 65 percent of
the ABC in Area 543.
(D) Any unharvested Atka mackerel A season allowance that is added
to the B season is prohibited from being harvested within waters 0 nm
to 20 nm of Steller sea lion sites listed in Table 6 to this part and
located in Areas 541, 542, and 543.
* * * * *
(e) * * *
(3) * * *
(v) For all vessels not listed in subpart F of this section, the
maximum retainable amount for Atka mackerel harvested in the Bering Sea
subarea is calculated at the end of each offload and is based on the
basis species harvested since the previous offload. For purposes of
this paragraph, offload means the removal of any fish or fish product
from the vessel that harvested the fish or fish product to any other
vessel or to shore.
* * * * *
0
6. In Sec. 679.22, revise paragraphs (a)(7) heading, (a)(7)(vi),
(a)(8) heading, and (a)(8)(iv) to read as follows:
Sec. 679.22 Closures.
(a) * * *
(7) Steller sea lion protection areas, Bering Sea reporting areas.
* * * * *
(vi) Atka mackerel closures. Directed fishing for Atka mackerel by
vessels named on a Federal Fisheries Permit under Sec. 679.4(b) and
using trawl gear is prohibited within the Bering Sea reporting areas.
* * * * *
(8) Steller sea lion protection areas, Aleutian Islands reporting
areas.
* * * * *
(iv) Pacific cod closures. Directed fishing for Pacific cod
required to be deducted from the Federal TAC specified at Sec. 679.20
by vessels named on a Federal Fisheries Permit under Sec. 679.4(b)
using trawl, hook-and-line, or pot gear is prohibited within Pacific
cod no-fishing zones around selected sites. These sites and gear types
are described in Table 5 of this part and its footnotes and are
identified by ``AI'' in column 2.
* * * * *
0
7. In Sec. 679.23, revise paragraphs (e)(3)(ii) and (e)(5)(ii)(C) to
read as follows:
Sec. 679.23 Seasons.
* * * * *
(e) * * *
(3) * * *
(ii) B season. From 1200 hours, A.l.t., June 10 through 1200 hours,
A.l.t., December 31.
* * * * *
(5) * * *
(ii) * * *
(C) C season-- (1) Catcher vessels and AFA catcher/processors. From
1200 hours, A.l.t., June 10 through 1200 hours, A.l.t., November 1.
(2) Amendment 80 and CDQ. From 1200 hours, A.l.t., June 10 through
1200 hours, A.l.t., December 31.
* * * * *
0
8. In Sec. 679.28, revise paragraph (f)(3)(i) and add paragraph (f)(7)
to read as follows:
Sec. 679.28 Equipment and operational requirements.
* * * * *
(f) * * *
(3) * * *
(i) Obtain a NMFS-approved VMS transmitter with transmission
capabilities required for the areas of vessel operation and have it
installed onboard your vessel in accordance with the instructions
provided by NMFS. You may get a copy of the VMS installation and
operation instructions from the Regional Administrator upon request.
* * * * *
(7) What additional requirements does an operator have if trawling
in the Aleutian Islands reporting areas? Operators of vessels named on
a Federal Fisheries Permit under Sec. 679.4(b), and that are using
trawl gear in the Aleutian Islands reporting areas to harvest
groundfish that is required to be deducted from a Federal TAC specified
at Sec. 679.20, must set their VMS to
[[Page 70312]]
transmit the vessel location at least 10 times per hour.
* * * * *
0
9. Revise Table 4 to Part 679 to read as follows:
BILLING CODE 3510-22-P
[[Page 70313]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.000
[[Page 70314]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.001
[[Page 70315]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.002
[[Page 70316]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.003
[[Page 70317]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.004
[[Page 70318]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.005
[[Page 70319]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.006
[[Page 70320]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.007
[[Page 70321]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.008
[[Page 70322]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.009
0
10. Revise Table 5 to Part 679 to read as follows:
[[Page 70323]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.010
[[Page 70324]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.011
[[Page 70325]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.012
[[Page 70326]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.013
[[Page 70327]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.014
[[Page 70328]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.015
[[Page 70329]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.016
[[Page 70330]]
[GRAPHIC] [TIFF OMITTED] TR25NO14.017
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[GRAPHIC] [TIFF OMITTED] TR25NO14.018
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0
11. Revise Table 6 to Part 679 to read as follows:
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[FR Doc. 2014-27658 Filed 11-24-14; 8:45 am]
BILLING CODE 3510-22-C