Takes of Marine Mammals Incidental to Specified Activities; Taking Marine Mammals Incidental to Operation, Maintenance, and Repair of the Northeast Gateway Liquefied Natural Gas Port and the Algonquin Pipeline Lateral Facilities in Massachusetts Bay, 78806-78821 [2014-30539]
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Federal Register / Vol. 79, No. 250 / Wednesday, December 31, 2014 / Notices
DEPARTMENT OF COMMERCE
Kathy Collins, (302) 526–5253, at least
5 days prior to the meeting date.
National Oceanic and Atmospheric
Administration
Dated: December 23, 2014.
Tracey L. Thompson,
Acting Deputy Director, Office of Sustainable
Fisheries, National Marine Fisheries Service.
RIN 0648–XD666
[FR Doc. 2014–30554 Filed 12–30–14; 8:45 am]
Mid-Atlantic Fishery Management
Council (MAFMC); Public Meeting
BILLING CODE 3510–22–P
National Marine Fisheries
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Atmospheric Administration (NOAA),
Commerce.
ACTION: Notice of public meeting.
AGENCY:
The Mid-Atlantic Fishery
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receive an overview from the Bureau of
Ocean Energy Management (BOEM)
about their geological and geophysical
(G&G) permitting process in the
Atlantic, focusing on regulations and
the permitted activities for G&G surveys.
DATES: The meeting will be held on
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p.m. to 3:30 p.m. EST, via Internet
Webinar.
SUMMARY:
The meeting will be held
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januaryboem/
Council address: Mid-Atlantic Fishery
Management Council, 800 North State
Street, Suite 201, Dover, DE 19901,
telephone: (302) 674–2331.
FOR FURTHER INFORMATION CONTACT: Dr.
Christopher M. Moore, Executive
Director, Mid-Atlantic Fishery
Management Council; telephone: (302)
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SUPPLEMENTARY INFORMATION: BOEM
will give a presentation to the Council
that provides an overview of the
geological and geophysical (G&G)
permitting process in the Atlantic,
focusing on regulations and the
permitted activities for G&G surveys.
BOEM will outline what is included in
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also go through the National
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discuss the related consultation and
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ADDRESSES:
Special Accommodations
This meeting is accessible to people
with disabilities. Requests for sign
language interpretation or other
auxiliary aid should be directed to
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
RIN 0648–XC228
Takes of Marine Mammals Incidental to
Specified Activities; Taking Marine
Mammals Incidental to Operation,
Maintenance, and Repair of the
Northeast Gateway Liquefied Natural
Gas Port and the Algonquin Pipeline
Lateral Facilities in Massachusetts Bay
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Notice; issuance of an incidental
take authorization.
AGENCY:
In accordance with the
Marine Mammal Protection Act
(MMPA) regulations, notification is
hereby given that NMFS has issued an
Incidental Harassment Authorization
(IHA) to the Northeast Gateway® Energy
BridgeTM, L.P. (Northeast Gateway or
NEG) and Algonquin Gas Transmission,
L.L.C. (Algonquin) to take, by
harassment, small numbers of 14
species of marine mammals incidental
to operating, maintaining, and repairing
a liquefied natural gas (LNG) port and
the Algonquin Pipeline Lateral (Pipeline
Lateral) facilities by NEG and
Algonquin, in Massachusetts Bay,
between December 22, 2014, through
December 21, 2015.
DATES: Effective December 22, 2014,
through December 21, 2015.
ADDRESSES: A copy of the original and
revised application containing a list of
the references used in this document,
The Maritime Administration
(MARAD), U.S. Coast Guard (USCG)
Final Environmental Impact Statement
(Final EIS) on the Northeast Gateway
Energy Bridge LNG Deepwater Port
license application, and other related
documents are available for viewing at
https://www.nmfs.noaa.gov/pr/permits/
incidental.htm#applications.
SUMMARY:
FOR FURTHER INFORMATION CONTACT:
Shane Guan, Office of Protected
Resources, NMFS, (301) 427–8401.
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Background
Sections 101(a)(5)(A)(D) of the MMPA
(16 U.S.C. 1361 et seq.) direct the
Secretary of Commerce (Secretary) to
allow, upon request, the incidental, but
not intentional taking of marine
mammals by U.S. citizens who engage
in a specified activity (other than
commercial fishing) within a specified
geographical region if certain findings
are made and regulations are issued or,
if the taking is limited to harassment, a
notice of a proposed authorization is
provided to the public for review.
An authorization for incidental
takings shall be granted if NMFS finds
that the taking will have a negligible
impact on the species or stock(s), will
not have an unmitigable adverse impact
on the availability of the species or
stock(s) for subsistence uses (where
relevant), and if the permissible
methods of taking and requirements
pertaining to the mitigation, monitoring
and reporting of such takings are set
forth. NMFS has defined ‘‘negligible
impact’’ in 50 CFR 216.103 as ‘‘an
impact resulting from the specified
activity that cannot be reasonably
expected to, and is not reasonably likely
to, adversely affect the species or stock
through effects on annual rates of
recruitment or survival.’’
Section 101(a)(5)(D) of the MMPA
established an expedited process by
which citizens of the U.S. can apply for
a one-year authorization to incidentally
take small numbers of marine mammals
by harassment, provided that there is no
potential for serious injury or mortality
to result from the activity. Section
101(a)(5)(D) establishes a 45-day time
limit for NMFS review of an application
followed by a 30-day public notice and
comment period on any proposed
authorizations for the incidental
harassment of marine mammals. Within
45 days of the close of the comment
period, NMFS must either issue or deny
the authorization.
Summary of Request
On January 18, 2013, NMFS received
an application from Excelerate and
Tetra Tech, on behalf of Northeast
Gateway and Algonquin, for an
authorization to take 14 species of
marine mammals by Level B harassment
incidental to operations, maintenance,
and repair of an LNG port and the
Pipeline Lateral facilities in
Massachusetts Bay. They are: North
Atlantic right whale, humpback whale,
fin whale, sei whale, minke whale, longfinned pilot whale, Atlantic white-sided
dolphin, bottlenose dolphin, shortbeaked common dolphin, killer whale,
Risso’s dolphin, harbor porpoise, harbor
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seal, and gray seal. Since LNG Port and
Pipeline Lateral operation, maintenance,
and repair activities have the potential
to take marine mammals, a marine
mammal take authorization under the
MMPA is warranted.
In response to the IHA application,
NMFS published a Federal Register
notice for the proposed IHA on
November 18, 2013 (78 FR 69049),
which included proposed mitigation
and monitoring measures to minimize
and monitor potential impacts to marine
mammals that could result from the
proposed LNG Port and Pipeline Lateral
operation, maintenance, and repair
activities. After the close of the public
comment period, Northeast Gateway
notified NMFS that it does not intend to
use marine autonomous recording units
(MARUs) for long-term passive acoustic
monitoring (PAM), as was described in
the November 18, 2013, proposed IHA
Federal Register notice, the IHA
application, and marine mammal
monitoring plan, except under certain
levels of LNG port activity, and
requested NMFS to modify the
monitoring measures in the proposed
IHA to use alternative acoustic
monitoring, with triggers for additional
long-term monitoring during higher
levels of LNG port activity (which
would require reinstallation of MARUs).
Following discussions with NMFS’
Office of Protected Resources, the NMFS
Greater Atlantic Regional Fisheries
Office (GARFO), and National Ocean
Service’s Stellwagen Bank National
Marine Sanctuary, on June 20, 2014,
Excelerate and Tetra Tech submitted a
revised IHA application with tiered
PAM measures corresponding to
different levels of LNG Port and
Pipeline Lateral operation, maintenance,
and repair activities. On October 6,
2014, NMFS published a Federal
Register notice (79 FR 60142) for the
revised proposed IHA that include
updated PAM. No changes was made for
the proposed updated PAM as described
in the revised proposed IHA. Please
refer to Federal Register notices for the
proposed IHA (78 FR 69049; November
18, 2013) and the revised proposed IHA
(79 FR 60142; October 6, 2014) for a
detailed description of the project
activities and the updated PAM.
Comments and Responses
A notice of NMFS’ proposal to issue
an IHA to Northeast Gateway and
Algonquin was published in the Federal
Register notice on November 18, 2013
(78 FR 69049), and was revised in a
second Federal Register notice on
October 6, 2014 (79 FR 60142). These
notices described, in detail, Northeast
Gateway and Algonquin’s activities, the
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marine mammal species that may be
affected by the activity, the anticipated
effects on marine mammals, and the
proposed monitoring, mitigation, and
reporting measures.
During the 30-day public comment
period for the Federal Register notice
published on November 18, 2013,
NMFS received two comment letters:
one from the Marine Mammal
Commission (Commission) and one
from the Whale and Dolphin
Conservation (WDC) and the Humane
Society of the United States (HSUS).
During the 30-day public comment
period for the Federal Register notice
published on October 6, 2014, NMFS
received only one comment letter from
the Commission. In that comment letter,
the Commission states that it believes
that the revised acoustic monitoring
measures are justified and, in
combination with other previously
proposed mitigation and monitoring
measures, are sufficient to ensure that
NMFS’ previous findings and
determinations are still valid. All
relevant comments are addressed here.
Comment 1: The Commission
recommends that NMFS issue the
requested authorization, subject to
inclusion of the proposed mitigation
and monitoring measures.
Response: NMFS concurs with the
Commission’s recommendation and has
included the mitigation and monitoring
measures contained in the proposed
authorization in the issued IHA.
Comment 2: Citing Mussoline et al.
(2012), the WDC and HSUS state that
North Atlantic right whales are detected
within Massachusetts Bay year round,
and therefore NEG’s maintenance and
repair activities between May 1 and
November 30 would have ‘‘direct
impact’’ to North Atlantic right whales.
In addition, the WDC and HSUS point
out that other endangered whale species
can also be found in Massachusetts Bay
during this time span but they are not
mentioned in the IHA application. WDC
and HSUS thus conclude that since no
lethal take can be authorized, any takes
would violate both the MMPA and the
Endangered Species Act (ESA).
Response: NMFS does not agree with
the WDC and HSUS’ assessment on the
potential impacts of whales in
Massachusetts Bay and their conclusion
in regards to lethal takes.
First, Mussoline et al. (2012) used
marine autonomous recording units
(MARUs) deployed throughout the
Stellwagen Bank National Marine
Sanctuary (SBNMS, Massachusetts Bay)
from January 2006 to February 2007 to
study the presence and absence of the
North Atlantic right whales in the area
by detection of the whale’s up-calls. The
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results showed that although up-calls
were detected year round, except during
July and August, in the SBNMS area,
calling rates were highest from January
through May, peaking in April
(Mussoline et al. 2012, Figure 2),
suggesting seasonal variation. These
seasonal variations in distribution of the
North Atlantic right whale in the project
vicinity were taken into consideration
when analyzing potential human
impacts from the proposed NEG and
Algonquin LNG Port operations and
maintenance and repair activities and
fashioning mitigation such as the
window for planned maintenance and
repair.
Second, with regard to the issue of
lethal take, it is stated clearly in the
Federal Register notices for the
proposed IHA that no mortality or
injury of marine mammals from the
proposed LNG Port/Pipeline operations
and maintenance and repair activities
(with mitigation and monitoring) is
expected and none are authorized.
Potential adverse effects to marine
mammals, including endangered whales
that might occur in the proposed LNG
Port action area, were assessed and
provided in the Federal Register notice
for the proposed IHA, as well as the
associated EIS. Finally, in preparation
for the issuance of the IHA, NMFS
Office of Protected Resources conducted
a section 7 consultation under the ESA
with the NMFS Greater Atlantic Region
Fisheries Office. A Biological Opinion
was issued on November 21, 2014,
concluding that the proposed action is
not likely to jeopardize the continued
existence of endangered marine
mammal and other species, with no
mortality anticipated.
Comment 3: Citing potential vessel
collision of the endangered North
Atlantic right whales, WDC and HSUS
recommend limiting the Energy Bridge
Regasification Vessel (EBRV) speeds to
10 knots as right whales have been
sighted throughout Massachusetts and
Cape Cod Bays at all times of the year.
The WDC and HSUS further state that
monitoring measures are not effective
because not all whales in an area will
be seen or heard, and detection can only
provide a record of where whales have
been recently seen.
Response: NMFS is aware of the
potential threats of vessel collision to
the North Atlantic right whale from all
transiting cargo ships, not just EBRVs,
in the area. Therefore, a series of
temporal and spatial vessel speed
related measures are required for the
LNG Port/Pipeline operations and
maintenance and repair activities in the
Massachusetts Bay. These measures are
the results of careful analyses and
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assessment on the seasonal and spatial
distribution of the right whale, and the
balance between species conservation
and practicability. Although right
whales are sighted in Massachusetts and
Cape Cod Bays throughout the year,
their presence in the summer months is
extremely rare, and NMFS does not
believe reducing vessel speeds from 12
knots to 10 knots would provide any
additional conservation benefits to the
species because vessels will have
protected species observers on board.
However, mitigation measures require
that once a whale is acoustically
detected, the vessel must slow down to
10 knots or less within 5 miles (8 km)
of the last sighting area, which provides
for a fairly large buffer to avoid any
potential collision with North Atlantic
right whales. We determined that this
measure was protective and would
reduce the likelihood of collision
further.
Comment 4: Citing the NEG IHA
application that maintenance and repair
activities will result in ‘‘increased levels
of turbidity which can interfere with the
ability of whales to forage effectively by
obscuring visual detection of or
dispersing potential prey,’’ WDC and
HSUS state that the proposed LNG Port
maintenance and repair activities may
result in reduced fitness of marine
mammal species.
Response: NMFS disagrees with the
cited statement in the IHA application,
as well as the conclusion from WDC and
HSUS based on the incorrect statement.
NMFS is aware that turbidity is a
potential effect from Algonquin Pipeline
Lateral maintenance and repair
activities. However, the area that may be
affected by these activities is expected
to be of very small scale, on the order
of tens of meters. Because the
disturbance would occur on such a
small scale relative to the size of
Massachusetts Bay and available
foraging area, we determined that the
maintenance and repair activities would
not appreciably affect the visual
detection of prey by marine mammals.
In addition, the turbidity by soil
disturbance from the proposed
maintenance and repair activities is
expected to be brief in duration.
Suspended sediments from the ocean
bottom are expected to resettle within
hours after any disturbance.
Comment 5: The WDC and HSUS are
concerned about the dramatic increase
in water withdrawal that has been
requested. The WDC and HSUS states
that these withdrawals would increase
from 2.6 billion gallons of sea water per
year to 11 billion gallons per year. The
WDC and HSUS question the
assessment performed by the applicant
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on abundance of planktonic species due
to their patchy distribution (citing
Baumgartner et al. 2003). Further,
without providing any scientific
evidence, the WDC and HSUS state that
an increase of 400% or more in water
uptake is bound to have significant
effects on localized plankton
aggregations.
Response: NMFS does not agree with
WDC and HSUS’ statement that the
increase of water intake would have
significant effects on localized plankton
aggregations. The Federal Register
notice for the proposed IHA provided
detailed analyses on the extra water
intake by the proposed LNG Port
operations and maintenance and repair
activities. Under the requested wateruse scenario, Tech Tech (2011)
conducted an environmental impact
assessment (EIA) titled ‘‘Environmental
Assessment: Northeast Gateway
Deepwater Port’’ on the potential
impacts to marine mammals and their
prey. To evaluate impacts to
phytoplankton under the increased
water usage, the biomass of
phytoplankton lost from the
Massachusetts Bay ecosystem was
estimated based on the same method
presented in the final Environmental
Impact Statement/Environmental
Impact Report (EIS/EIR). Phytoplankton
densities of 65,000 to 390,000 cells/
gallon were multiplied by the annual
planned activities withdrawal rate of 11
billion gallons to estimate a loss of 7.15
× 1014 to 4.29 × 1015 cells per year.
Assuming a dry-weight biomass of
10¥10 to 10¥11 gram per cell (g/cell), an
estimated 7.2 kg to 429 kg of biomass
would be lost annually from
Massachusetts Bay under the proposed
activity, up to approximately 4.2 times
greater than that estimated in the EIS/
EIR for the permitted operational
scenario. An order of magnitude
estimate of the effect of this annual
biomass loss on the regional food web
can be calculated assuming a 10 percent
transfer of biomass from one trophic
level to the next (Sumich 1988)
following the method used in the final
EIS/EIR. This suggests that the loss of
7.2 kg to 429 kg of phytoplankton will
result in the loss of about 0.7 kg to 42.9
kg of zooplankton, less than 0.1 kg to 4.3
kg of small planktivorous fish, and up
to 0.4 kg of large piscivorous fish
(approximately equivalent to a single 1pound striped bass). Relative to the
biomass of these trophic levels in the
project area, this biomass loss is minor
and consistent with the findings in the
final EIS/EIR. NMFS’ analysis relied on
the analysis in the EIA for its own
analysis, and the comment does not
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provide support for a contradictory
conclusion.
In addition, the density of
zooplankton determined by the
sampling conducted by the
Massachusetts Water Resource
Authority (MWRA) to characterize the
area is approximately of 34.9 × 103
organisms per m3. Applying this
density, the water withdrawal volume
under the proposed activity would
result in the entrainment of 2.2 × 1010
zooplankton individuals per trip or 1.5
× 1012 individuals per year. Assuming
an average biomass of 0.63 × 10-6 g per
individual, this would result in the loss
of 14.1 kg of zooplankton per shipment
or 916.5 kg of zooplankton per year for
65 shipments. As discussed for
phytoplankton, biomass transfers from
one trophic level to the next at a rate of
about 10 percent. Therefore, this
entrainment of zooplankton would
result in loss of about 91.6 kg of
planktivorous fish and 9.2 kg of large
piscivorous fish (approximately
equivalent to two 9-pound striped bass).
These losses are minor relative to the
total biomass of these trophic levels in
Massachusetts Bay.
Finally, ichthyoplankton (fish eggs
and larvae) losses and equivalent age
one juvenile fish estimates under the
proposed activity were made based on
actual monthly ichthyoplankton data
collected in the port area from October
2005 through December 2009 and the
proposed activity withdrawal volume of
11 billion gallons per year evenly
distributed among months (0.92 billion
gallons per month) as a worst-case
scenario, representing the maximum
number of Port deliveries during any
given month. Similarly, the lower,
upper, and mean annual entrainment
estimates are based on the lower and
upper 95 percent confidence limits, of
the monthly mean ichthyoplankton
densities, and the monthly mean
estimates multiplied by the monthly
withdrawal rate of 0.92 billion gallons
per month. At this withdrawal rate,
approximately 106 million eggs and 67
million larvae are estimated to be lost.
Nevertheless, the demand for natural
gas and corresponding Port activities
will likely be greatest during the winter
heating season (November through
March) when impacts from entrainment
will likely be lower.
These estimated losses are not
significant given the very high natural
mortality of ichthyoplankton. This
comparison was done in the final EIS/
EIR where ichthyoplankton losses based
on historic regional ichthyoplankton
densities and a withdrawal rate of
approximately 2.6 billion gallons per
year were represented by the equivalent
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number of age one fish. Under the final
EIS/EIR withdrawal scenario, equivalent
age one losses due to entrainment
ranged from 1 haddock to 43,431 sand
lance (Tetra Tech 2010). Equivalent age
one losses when no NEG Port operations
occurred were recalculated using
Northeast Gateway monitoring data in
order to facilitate comparisons between
the permitted scenario and no action
scenario. Using Northeast Gateway
monitoring data, withdrawal of 2.6
billion gallons per year would result in
equivalent age one losses ranging from
less than 1 haddock to 5,602 American
sand lance. By comparison, equivalent
age one losses under the proposed
activity withdrawal rate of 11 billion
gallons per year ranged from less than
1 haddock to 23,701 sand lance and
were generally similar to or less than
those in the final EIS/EIR.
Although no reliable annual food
consumption rates of baleen whales are
available for comparison, based on the
calculated quantities of phytoplankton,
zooplankton, and ichthyoplankton
removal analyzed above, we believe it is
reasonable to conclude that baleen
whale predation rates would dwarf any
reasonable estimates of prey removals
by NEG Port operations.
In conducting this analysis, NMFS is
aware of the prey patchiness in the
natural environment. However, for a
large scale and long-term environmental
assessment, random and uniform
plankton distribution is a valid
assumption to make. Therefore, NMFS
determined that the prey removals by
NEG Port operations resulting from
water usage will have inconsequential
impacts on plankton aggregation.
Comment 6: The WDC and HSUS are
concerned about the increased discharge
of warm water during off-loading. The
WDC and HSUS state that there are
likely to be adverse impacts to
zooplankton in the area and,
consequently, the forage base for several
endangered whale species. The WDC
and HSUS further state that in
particular, this warmer water could
affect right whale prey distribution and
prey availability, as their primary prey,
Calanus finmarchicus, tends to be
concentrated in discrete thermal layers
(Baumgartner and Mate, 2005). In
addition, WDC and HSUS point out that
research by Keller et al. (2002) has
indicated that presence or absence of
right whales was dependent on water
temperature differences of as little as 2
°C.
Response: NMFS is aware of the
increased discharge of warm water
during NEG LNG Port operation offloading process. In 2011, NMFS
requested that NEG conduct an analysis
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of its warm water discharge from the
cooling systems. The analysis used a
refined software system, CORnell
MIxing Zone Expert System (CORMIX),
to estimate behavior of the thermal
plumes (Dill and Hamilton 2011).
Initial data indicate the actual
temperature difference (DT) associated
with the discharge water can approach
12 °C, which is greater than originally
anticipated (2.6 °C). Using the newer
version of the modeling software
(CORMIX 6.0–GT) to simulate the
originally estimated discharge
characteristics as a point of comparison,
and to simulate a range of conditions,
including variable plume discharge DT
levels from the main condenser cooling
system of 4 to 12 °C, and variable
receiving water conditions in winter
and summer, the results showed the
following:
• Summer conditions: Results showed for
summer (when the water column in
Massachusetts Bay is stratified) that the
plume generally is expected to surface when
DT is 6 °C or greater. The plume is unstable
in the near-field, and may surface
immediately adjacent to the hull. Lower
temperature differences (e.g., DT of 4 °C) can
mix at depth within the cooler lower layer of
Massachusetts Bay. The distance at which a
DT of 0.8 °C is achieved ranges from 13 to
65 m from the ship. At 500 m from the ship,
the surface DT is 0.34 °C or less.
• Winter conditions: Results showed for
winter (when the water column is wellmixed) that the plume surfaces within 37 m
(discharge DT of 12 °C) to 78 m (discharge DT
of 4 °C) from the ship. The distance at which
DT of 0.8 °C is achieved ranges from 19 to
37 m from the ship, which is a submerged
position within the plume. Maximum surface
DT is less than 1 °C. At 500 m from the ship,
the surface DT is 0.31 °C or less.
In summary, the temperature
difference is expected to drop to nonsignificant over the distance of tens of
meters from the vessel. Therefore,
NMFS determined that the warm water
discharge from the LNG Port operations
is expected to have no effects on the
marine environment, zooplankton in the
area, and marine mammal prey
distribution.
Comment 7: The WDC and HSUS
state that the applicant does not appear
concerned that underwater sound
resulting from maintenance and
operation of the port is likely to result
in harassment to marine mammals,
except noise from a DP dive vessel. The
WDC and HSUS further states that
sound propagation calculations the
applicant performed were based on
outdated data that may no longer be
applicable, as environmental factors
such as seabed composition are likely to
have changed in the past twenty years,
and the applicant acknowledges that the
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maximum radius of the Zone of
Influence (ZOI) is inherently variable.
Response: NMFS does not agree. The
initial Federal Register notice (FR
69049; November 18, 2013) for the
proposed IHA described noise from the
proposed maintenance and repair
activities, and the analysis discussed
more than just sound from a DP dive
vessel, including models used to assess
vessel noises such as turning screws,
engine noise, noise of operating
machinery, and thruster use. In
addition, to confirm these modeled
results and better understand the noise
footprint associated with the initial
construction activities at the LNG Port,
field measurements were taken of
various construction activities during
the 2007 NEG Port and Algonquin
Pipeline Lateral Construction period.
Measurements were taken to establish
the ‘‘loudest’’ potential construction
measurement event. The location at the
LNG Port was used to determine sitespecific distances to the 120/180 dB re
1 mPa isopleths for NEG Port
maintenance and repair activities.
As described for NEG Port operations,
sound propagation calculations were
performed to determine the noise
footprint of the construction activity.
The calculations took into consideration
aspects of water depth, sea state,
bathymetry, and seabed composition,
and specifically evaluated sound energy
in the range that encompasses the
auditory frequencies of marine
mammals and sound propagation
beyond the immediate vicinity of the
source. These results were then summed
across frequencies to provide the
broadband received levels at receptor
locations. The resulting distance to the
120 dB isopleth (180 dB re 1 mPa does
not exist) was estimated to determine
the maximum distance at which Level B
harassment may occur.
NMFS used the most recent and best
data available regarding sound
measurements from the Port, which
were collected during maintenance and
repair activities in 2009. We note,
however, that this IHA requires the
applicant to conduct passive acoustic
monitoring (PAM) for the noise
environment in Massachusetts Bay
during operations and maintenance and
repair activities. The acoustic data
collected by the PAM will measure and
document the sound ‘‘budget’’ of
Massachusetts Bay so as to eventually
assist in determining whether or not an
overall increase in noise in the Bay
associated with the Project might be
having a potentially negative impact on
marine mammals. These acoustic data
will provide additional new insight on
the noise levels from NEG’s proposed
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LNG Port operations and maintenance
and repair activities.
Comment 8: The WDC and HSUS
state that the applicant does not take
into account the fact that GDF SUEZNeptune LNG is also operating in
Massachusetts Bay, and because the
ports are ‘‘very similar in their potential
need and type or maintenance and
repair’’, the cumulative impacts of noise
from both ports should be considered
but have not been discussed by the
applicant.
Response: The potential cumulative
impacts from the nearby Neptune LNG
Port were analyzed in the EIS/EIR for
the NEG LNG project. However, on July
5, 2013, the Maritime Administration
granted the request of Neptune LNG to
suspend operations of their LNG Port
facility for a period of 5 years, which
began on June 26, 2013. Therefore,
Neptune LNG will not be conducting
any operations until at least June 26,
2018.
Comment 9: The WDC and HSUS are
concerned by the estimated number of
takes of marine mammals, particularly
the North Atlantic right whale. The
applicant estimates takes for this species
as high as 29 per year due to port
operations and maintenance and repair
activities of the NEG Port and the
Algonquin Pipeline Lateral.
Response: As analyzed and discussed
in detail in the Federal Register notices
for the proposed IHA, the estimated take
of up to 29 North Atlantic right whale
by Level B behavioral harassment
represent 6.59% of the population.
Since it is likely that individual animals
could be ‘‘taken’’ by harassment
multiple times, the percentage is the
upper boundary of the numbers of
animals in the population that could be
affected. The Level B behavioral
harassment of these animals is expected
to consist of brief exposure of
anthropogenic underwater noise levels
above 120 dB re 1 mPa, and animals
exposed to that level may exhibit brief
alert or avoidance activities during the
exposure. In addition, no mortality or
injury is expected to occur, and due to
the nature, degree, and context of the
Level B harassment anticipated, the
activity is not expected to impact rates
of recruitment or survival.
Comment 10: The WDC and HSUS
point out an inconsistency in the IHA
application regarding historical marine
mammal take numbers. The WDC and
HSUS state that in the IHA application,
the applicant stated that ‘‘to date, based
on both ERBV vessel observations and
MARU data, no take by harassment has
been recorded during NEG Port
operations,’’ while later in the
application it stated that ‘‘[t]o date,
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these mitigation and monitoring
activities have successfully safeguarded
marine mammals and sea turtles,
resulting in a total of only 1 take by
acoustic harassment over the past 3
years of operation.’’
Response: NMFS contacted NEG for
clarification of these two statements.
After review of the original marine
mammal monitoring records, NEG’s
contractor Tetra Tech states that the
only observed take of a marine mammal
was on February 5, 2009, when an
unidentified small marine mammal
(either a seal or a dolphin) was briefly
spotted within the 120 dB re 1 mPa zone
of influence at a distance between 1 and
1.2 miles from the EBRV Explorer while
DP thrusters were engaged.
Description of Marine Mammals in the
Area of the Specified Activities
The Federal Register notice (78 FR
69049; November 18, 2013) for the
proposed IHA and Northeast Gateway’s
IHA application identified 14 marine
mammal species under NMFS
jurisdiction likely to occur in the
construction area:
North Atlantic right whale (Eubalaena
glacialis),
humpback whale (Megaptera novaeangliae),
fin whale (Balaenoptera physalus),
minke whale (B. acutorostrata),
long-finned pilot whale (Globicephala
melas),
Atlantic white-sided dolphin
(Lagenorhynchus acutus),
bottlenose dolphin (Tursiops truncatus),
common dolphin (Delphinus delphis),
killer whale (Orcinus orca),
Risso’s dolphin (Grampus griseus),
harbor porpoise (Phocoena phocoena),
harbor seal (Phoca vitulina), and
gray seal (Halichoerus grypus).
Information on those species that may
be affected by this activity is discussed
in detail in the USCG Final EIS on the
Northeast Gateway LNG proposal.
Please refer to that document for more
information on these species and
potential impacts from operation of this
LNG facility. In addition, general
information on these marine mammal
¨
species can also be found in Wursig et
al. (2000) and in the NMFS Stock
Assessment Reports (Waring et al.,
2014). This latter document is available
at: https://www.nmfs.noaa.gov/pr/sars/
pdf/ao2013_tm228.pdf. That
information has not changed and is
therefore not repeated here.
Potential Effects of the Specified
Activity on Marine Mammals
The proposed NEG LNG port/pipeline
operations and maintenance and repair
activities could affect marine mammal
species and stocks by exposing them to
elevated noise levels in the vicinity of
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the activity area. As described in detail
in the Federal Register notice of
proposed IHA (78 FR 69049, November
18, 2013), potential impacts from port
operations and maintenance and repair
activities could result in behavioral
disturbances, masking, habituation, and
although highly unlikely temporary
hearing threshold shift. That
information has not changed and is
therefore not repeated here.
Northeast Gateway contracted with
Tetra Tech EC, Inc. (Tetra Tech) to
perform field investigations to
document various underwater noise
levels emitted during the construction
of the NEG Port and Algonquin Pipeline
Lateral and during the operation of NEG
Port facilities (namely the operation of
EBRVs). Tetra Tech conducted five
offshore hydroacoustic field programs:
One in 2005 and one in 2006 at the Gulf
Gateway Deepwater Port located
approximately 116 miles off the coast of
Louisiana in the Gulf of Mexico; and
three in 2007 at the NEG Port and
Algonquin Pipeline Lateral Project area.
The 2005 measurements were
completed to determine underwater
noise levels during EBRV onboard
regasification and vessel movements.
The data from the 2005 field program
was used to support the modeling and
analysis of potential acoustic effects of
EBRV operations in Massachusetts Bay
during the NEG Port permitting and
licensing process. The data collected in
2006 was also associated with EBRV
operation activities and were collected
for the purpose of verifying the
measurement completed in 2005 as well
as to further document sound levels
during additional operational and EBRV
activities such as EBRV coupling and
decoupling from the buoy system,
transit and the use of stern and bow
thrusters required for dynamic
positioning. The 2007 measurements
were collected during NEG Port and
Algonquin Pipeline Lateral construction
to obtain site-specific underwater
sound-level data associated with various
construction activities that were
previously modeled in support of
permitting and licensing. These data are
used here to analyze potential noise
impacts to marine mammals and to
provide the basis for take calculation
before new measurements are made onsite (see Monitoring Measures section
below).
A detailed report describing both the
2006 and 2007 operation and
construction noise measurement events
and associated results have been
included as Appendix B of the IHA
application. The Federal Register notice
of proposed IHA provided a complete
description of NEG port operations,
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NEG port maintenance and repair, and
Algonquin pipeline lateral operations
and maintenance and unplanned repair,
the activities that could result in Level
B harassment from the described
activities.
Potential Effects on Marine Mammal
Habitat
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NEG Port Operations
Operation of the NEG Port will not
result in short-term effects on habitat;
however, long-term effects on the
marine environment, including
alteration of the seafloor conditions,
continued disturbance of the seafloor,
regular withdrawal of sea water, and
regular generation of underwater noise,
will result from Port operations.
Specifically, a small area (0.14 acre)
along the Pipeline Lateral has been
permanently altered (armored) at two
cable crossings. In addition, the
structures associated with the NEG Port
(flowlines, mooring wire rope and
chain, suction anchors, and pipeline
end manifolds) occupy 4.8 acres of
seafloor. An additional area of the
seafloor of up to 43 acres (a worst case
scenario based on severe 100-year storm
with EBRVs occupying both STL buoys)
will be subject to disturbance due to
chain sweep while the buoys are
occupied. Given the relatively small size
of the NEG Port area that will be directly
affected by Port operations, NMFS does
not anticipate that habitat loss will be
significant.
EBRVs are currently authorized to
withdraw an average of 4.97 million
gallons per day (mgd) and 2.6 billion
gallons per year of sea water for general
ship operations during it cargo delivery
activities at the NEG Port. However,
during the operations of the NEG Port
facility, it was revealed that
significantly more water usage is needed
from what was originally evaluated in
the final USCG Environmental Impact
Statement/Environmental Impact Report
(EIS/EIR). The updates for the needed
water intake and discharge temperature
are:
• 11 billion gallons of total annual water
use at the Port;
• Maximum daily intake volume of up to
56 mgd at a rate of 0.45 feet per second when
an EBRV is not able to achieve the heat
recovery system (HRS: It is the capability of
reducing water use during the regasification
process) mode of operation; and,
• Maximum daily change in discharge
temperature of 12 °C (21.6 °F) from ambient
from the vessel’s main condenser cooling
system.
Under the requested water-use
scenario, Tech Tech (2011) conducted
an environmental analysis on the
potential impacts to marine mammals
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and their prey. To evaluate impacts to
phytoplankton under the increased
water usage, the biomass of
phytoplankton lost from the
Massachusetts Bay ecosystem was
estimated based on the method
presented in the final EIS/EIR.
Phytoplankton densities of 65,000 to
390,000 cells/gallon were multiplied by
the annual planned activities of
withdrawal rate of 11 billion gallons to
estimate a loss of 7.15 × 1014 to 4.29 ×
1015 cells per year. Assuming a dryweight biomass of 10¥10 to 10¥11 gram
per cell (g/cell), an estimated 7.2 kg to
429 kg of biomass would be lost from
Massachusetts Bay under the proposed
activity, up to approximately 4.2 times
that estimated in the final EIS/EIR for
the permitted operational scenario. An
order of magnitude estimate of the effect
of this annual biomass loss on the
regional food web can be calculated
assuming a 10 percent transfer of
biomass from one trophic level to the
next (Sumich 1988) following the
method used in the final EIS/EIR. This
suggests that the loss of 7.2 kg to 429 kg
of phytoplankton will result in the loss
of about 0.7 kg to 42.9 kg of
zooplankton, less than 0.1 kg to 4.3 kg
of small planktivorous fish, and up to
0.4 kg of large piscivorous fish
(approximately equivalent to a single 1pound striped bass). Relative to the
biomass of these trophic levels in the
project area, this biomass loss is minor
and consistent with the findings in the
final EIS/EIR.
In addition, zooplankton losses will
also increase proportionally to the
increase in water withdrawn. The final
EIS/EIR used densities of zooplankton
determined by the sampling conducted
by the Massachusetts Water Resource
Authority (MWRA) to characterize the
area around its offshore outfall and
assumed a mean zooplankton density of
34.9 × 103 organisms per m3. Applying
this density, the water withdrawal
volume under the proposed activity
would result in the entrainment of 2.2
× 1010 zooplankton individuals per trip
or 1.5 × 1012 individuals per year.
Assuming an average biomass of 0.63 ×
10¥6 g per individual, this would result
in the loss of 14.1 kg of zooplankton per
shipment or 916.5 kg of zooplankton per
year. As discussed for phytoplankton,
biomass transfers from one trophic level
to the next at a rate of about 10 percent.
Therefore, this entrainment of
zooplankton would result in loss of
about 91.6 kg of planktivorous fish and
9.2 kg of large piscivorous fish
(approximately equivalent to two 9pound striped bass). These losses are
minor relative to the total biomass of
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these trophic levels in Massachusetts
Bay.
Finally, ichthyoplankton (fish eggs
and larvae) losses and equivalent age
one juvenile fish estimates under the
proposed activity were made based on
actual monthly ichthyoplankton data
collected in the port area from October
2005 through December 2009 and the
proposed activity withdrawal volume of
11 billion gallons per year evenly
distributed among months (0.92 billion
gallons per month) as a worst-case
scenario, representing the maximum
number of Port deliveries during any
given month. Similarly, the lower,
upper, and mean annual entrainment
estimates are based on the lower and
upper 95 percent confidence limits, of
the monthly mean ichthyoplankton
densities, and the monthly mean
estimates multiplied by the monthly
withdrawal rate of 0.92 billion gallons
per month. At this withdrawal rate
approximately 106 million eggs and 67
million larvae are estimated to be lost
(see Table 4.2–2 of the IHA application).
The most abundant species and life
stages estimated to be entrained under
the proposed activity are cunner post
yolk-sac larvae (33.3 million), yellowtail
flounder/Labridae eggs (27.4 million)
and hake species eggs (18.7 million).
Together, these species and life stages
accounted for approximately 46 percent
of the total entrainment estimated.
Entrainment was estimated to be highest
in June through July when 97.4 million
eggs and larvae (approximately 57
percent of the annual total) were
estimated to be entrained. Nevertheless,
the demand for natural gas and
corresponding Port activities will likely
be greatest during the winter heating
season (November through March),
when impacts from entrainment will
likely be lower.
These estimated losses are not
significant given the very high natural
mortality of ichthyoplankton. This
comparison was done in the final EIS/
EIR where ichthyoplankton losses based
on historic regional ichthyoplankton
densities and a withdrawal rate of
approximately 2.6 billion gallons per
year were represented by the equivalent
number of age one fish. Under the final
EIS/EIR withdrawal scenario, equivalent
age one losses due to entrainment
ranged from 1 haddock to 43,431 sand
lance (Tetra Tech 2010). Equivalent age
one losses under the conditions when
no NEG Port operations occur were
recalculated using Northeast Gateway
monitoring data in order to facilitate
comparisons between the permitted
scenario. Using Northeast Gateway
monitoring data, withdrawal of 2.6
billion gallons per year would result in
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equivalent age one losses ranging from
less than 1 haddock to 5,602 American
sand lance. By comparison, equivalent
age one losses under the proposed
activity withdrawal rate of 11 billion
gallons per year ranged from less than
1 haddock to 23,701 sand lance and
were generally similar to or less than
those in the final EIS/EIR. Substantially
more equivalent age one Atlantic
herring, pollock, and butterfish were
estimated to be lost under the final EIS/
EIR at a withdrawal rate of 2.6 billion
gallons per year, while substantially
more equivalent age one Atlantic cod,
silver hake and hake species, cunner,
and Atlantic mackerel are estimated to
be lost under the proposed activity.
Although no reliable annual food
consumption rates of baleen whales are
available for comparison, based on the
calculated quantities of phytoplankton,
zooplankton, and ichthyoplankton
removal analyzed above, it is reasonable
to conclude that baleen whale predation
rates would dwarf any reasonable
estimates of prey removals by NEG Port
operations. Therefore, NMFS believes
that the prey removals by NEG Port
operations resulting from water usage
will have negligible impacts on marine
mammal habitat.
NEG Port Maintenance
As stated earlier, NEG LNG Port will
require scheduled maintenance
inspections using either divers or ROVs.
The duration of these inspections are
not anticipated to be more than two 8hour working days. An EBRV will not
be required to support these annual
inspections. Water usage during the
LNG Port maintenance would be limited
to the standard requirements of NEG’s
normal support vessel. As with all
vessels operating in Massachusetts Bay,
sea water uptake and discharge is
required to support engine cooling,
typically using a once-through system.
The rate of seawater uptake varies with
the ship’s horsepower and activity and
therefore will differ between vessels and
activity type. For example, the Gateway
Endeavor is a 90-foot vessel powered
with a 1,200 horsepower diesel engine
with a four-pump seawater cooling
system. This system requires seawater
intake of about 68 gallons per minute
(gpm) while idling and up to about 150
gpm at full power. Use of full power is
required generally for transit. A
conservatively high estimate of vessel
activity for the Gateway Endeavor
would be operation at idle for 75
percent of the time and full power for
25 percent of the time. During the
routine activities this would equate to
approximately 42,480 gallons of
seawater per 8-hour work day. When
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compared to the engine cooling
requirements of an EBRV over an 8-hour
period (approximately 18 million
gallons), the Gateway Endeavour uses
about 0.2 percent of the EBRV
requirement. To put this water use into
context, potential effects from the
waters-use scenario of 56 mgd have
been concluded to be orders of
magnitude less than the natural
fluctuations of Massachusetts Bay and
Cape Cod Bay and not detectable. Water
use by support vessels during routine
port activities would not materially add
to the overall impacts.
Certain maintenance and repair
activities may also require the presence
of an EBRV at the Port. Such instances
may include maintenance and repair on
the STL Buoy, vessel commissioning,
and any onboard equipment
malfunction or failure occurring while a
vessel is present for cargo delivery.
Because the requested water-use
scenario allows for daily water use of up
to 56 mgd to support standard EBRV
requirements when not operating in the
HRS mode, vessels would be able to
remain at the Port as necessary to
support all such maintenance and repair
scenarios. Therefore, NMFS considers
that NEG Port maintenance and repair
would have negligible impacts to
marine mammal habitat in the proposed
activity area.
Unanticipated Algonquin Pipeline
Lateral Maintenance and Repair
Proper care and maintenance of the
Algonquin Pipeline Lateral should
minimize the likelihood of an
unanticipated maintenance and/or
repair event; however, unanticipated
activities may occur from time to time
if facility components become damaged
or malfunction. Unanticipated repairs
may range from relatively minor
activities requiring minimal equipment
and one or two diver/ROV support
vessels to major activities requiring
larger construction-type vessels similar
to those used to support the
construction and installation of the
facility.
Major repair activities, although
unlikely, may include repairing or
replacement of pipeline manifolds or
sections of the Pipeline Lateral. This
type of work would likely require the
use of large specialty construction
vessels such as those used during the
construction and installation of the NEG
Port and Algonquin Pipeline Lateral.
The duration of a major unplanned
activity would depend upon the type of
repair work involved and would require
careful planning and coordination.
Turbidity would likely be a potential
effect of Algonquin Pipeline Lateral
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maintenance and repair activities on
listed species. In addition, the possible
removal of benthic or planktonic
species, resulting from relatively minor
construction vessel water use
requirements, as measured in
comparison to EBRV water use, is
unlikely to affect in a measurable way
the food sources available to marine
mammals. Therefore, NMFS considers
that Algonquin Pipeline Lateral
maintenance and repair would have
negligible impacts to marine mammal
habitat in the proposed activity area.
Mitigation Measures
In order to issue an incidental take
authorization under section 101(a)(5)(D)
of the MMPA, NMFS must set forth the
permissible methods of taking pursuant
to such activity, and other means of
effecting the least practicable adverse
impact on such species or stock and its
habitat, paying particular attention to
rookeries, mating grounds, and areas of
similar significance, and on the
availability of such species or stock for
taking for certain subsistence uses.
NMFS is requiring the following
mitigation measures to minimize the
potential impacts to marine mammals in
the project vicinity as a result of the
LNG Port and Algonquin Pipeline
Lateral operations and maintenance and
repair activities. The primary purpose of
these mitigation measures is to ensure
that no marine mammal will be injured
or killed by vessels transiting the LNG
Port facility, and to minimize the
intensity of noise exposure of marine
mammals in the activity area.
(a) General Marine Mammal Avoidance
Measures
(i) All vessels shall utilize the
International Maritime Organization
(IMO)-approved Boston Traffic
Separation Scheme (TSS) on their
approach to and departure from the
NEG Port and/or the repair/maintenance
area at the earliest practicable point of
transit in order to avoid the risk of
whale strikes.
(ii) Upon entering the TSS and areas
where North Atlantic right whales are
known to occur, including the Great
South Channel Seasonal Management
Area (GSC–SMA) and the SBNMS, the
EBRV shall go into ‘‘Heightened
Awareness’’ as described below.
(A) Prior to entering and navigating
the modified TSS the Master of the
vessel shall:
(I) Consult Navigational Telex
(NAVTEX), NOAA Weather Radio, the
NOAA Right Whale Sighting Advisory
System (SAS) or other means to obtain
current right whale sighting information
as well as the most recent Cornell
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acoustic monitoring buoy data for the
potential presence of marine mammals;
(II) Post a look-out to visually monitor
for the presence of marine mammals;
(III) Provide the US Coast Guard
(USCG) required 96-hour notification of
an arriving EBRV to allow the NEG Port
Manager to notify Cornell of vessel
arrival.
(B) The look-out shall concentrate his/
her observation efforts within the 2-mile
radius zone of influence (ZOI) from the
maneuvering EBRV.
(C) If marine mammal detection was
reported by NAVTEX, NOAA Weather
Radio, SAS and/or an acoustic
monitoring buoy, the look-out shall
concentrate visual monitoring efforts
towards the areas of the most recent
detection.
(D) If the look-out (or any other
member of the crew) visually detects a
marine mammal within the 2-mile
radius ZOI of a maneuvering EBRV, he/
she will take the following actions:
(I) The Officer-of-the-Watch shall be
notified immediately; who shall then
relay the sighting information to the
Master of the vessel to ensure action(s)
can be taken to avoid physical contact
with marine mammals.
(II) The sighting shall be recorded in
the sighting log by the designated lookout.
(iii) In accordance with 50 CFR
224.103(c), all vessels associated with
NEG Port and Pipeline Lateral activities
shall not approach closer than 500 yards
(460 m) to a North Atlantic right whale
and 100 yards (91 m) to other whales to
the extent physically feasible given
navigational constraints. In addition,
when approaching and departing the
project area, vessels shall be operated so
as to remain at least 1 km away from
any visually-detected North Atlantic
right whales.
(iv) In response to active right whale
sightings and active acoustic detections,
and taking into account exceptional
circumstances, EBRVs, repair and
maintenance vessels shall take
appropriate actions to minimize the risk
of striking whales. Specifically vessels
shall:
(A) Respond to active right whale
sightings and/or Dynamic Management
Area (DMA) as described at 73 FR
60173, 60180 (October 10, 2008)
reported on the Mandatory Ship
Reporting (MSR) or SAS by
concentrating monitoring efforts
towards the area of most recent
detection and reducing speed to 10
knots or less if the vessel is within the
boundaries of a DMA or within the
circular area centered on an area 8 nm
in radius from a sighting location;
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(B) Respond to active acoustic
detections by concentrating monitoring
efforts towards the area of most recent
detection and reducing speed to 10
knots or less within an area 5 nm in
radius centered on the detecting AB;
and
(C) Respond to additional sightings
made by the designated look-outs
within a 2-mile radius of the vessel by
slowing the vessel to 10 knots or less
and concentrating monitoring efforts
towards the area of most recent sighting.
(v) All vessels operated under NEG
and Algonquin must follow the
established specific speed restrictions
when calling at the NEG Port. The
specific speed restrictions required for
all vessels (i.e., EBRVs and vessels
associated with maintenance and repair)
consist of the following:
(A) Vessels shall reduce their
maximum transit speed while in the
TSS from 12 knots or less to 10 knots
or less from March 1 to April 30 in all
waters bounded by straight lines
connecting the following points in the
order stated below unless an emergency
situation dictates for an alternate speed.
This area shall hereafter be referred to
as the Off Race Point Seasonal
Management Area (ORP–SMA) and
tracks NMFS regulations at 50 CFR
224.105:
42°30′ N 70°30′ W
42°30′ N 69°45′ W
41°40′ N 69°45′ W
42°04.8′ N 70°10′ W
41°40′ N 69°57′ W
42°12′ N 70°15′ W
42°12′ N 70°30′ W
42°30′ N 70°30′ W
(B) Vessels shall reduce their
maximum transit speed while in the
TSS to 10 knots or less unless an
emergency situation dictates for an
alternate speed from April 1 to July 31
in all waters bounded by straight lines
connecting the following points in the
order stated below. This area shall
hereafter be referred to as the GSC–SMA
and tracks NMFS regulations at 50 CFR
224.105:
42°30′ N 69°45′ W
42°30′ N 67°27′ W
42°09′ N 67°08.4′ W
41°40′ N 69°45′ W
42°30′ N 69°45′ W
41°00′ N 69°05′ W
(C) Vessels are not expected to transit
the Cape Cod Bay or the Cape Cod
Canal; however, in the event that transit
through the Cape Cod Bay or the Cape
Cod Canal is required, vessels shall
reduce maximum transit speed to 10
knots or less from January 1 to May 15
in all waters in Cape Cod Bay, extending
to all shorelines of Cape Cod Bay, with
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78813
a northern boundary of 42°12′ N latitude
and the Cape Cod Canal. This area shall
hereafter be referred to as the Cape Cod
Bay Seasonal Management Area (CCB–
SMA).
(D) All Vessels transiting to and from
the project area shall report their
activities to the mandatory reporting
Section of the USCG to remain apprised
of North Atlantic right whale
movements within the area. All vessels
entering and exiting the MSRA shall
report their activities to
WHALESNORTH. Vessel operators shall
contact the USCG by standard
procedures promulgated through the
Notice to Mariner system.
(E) All Vessels greater than or equal
to 300 gross tons (GT) shall maintain a
speed of 10 knots or less, unless an
emergency situation requires speeds
greater than 10 knots.
(F) All Vessels less than 300 GT
traveling between the shore and the
project area that are not generally
restricted to 10 knots will contact the
Mandatory Ship Reporting (MSR)
system, the USCG, or the project site
before leaving shore for reports of active
DMAs and/or recent right whale
sightings and, consistent with
navigation safety, restrict speeds to 10
knots or less within 5 miles (8
kilometers) of any sighting location,
when traveling in any of the seasonal
management areas (SMAs) or when
traveling in any active DMA.
(b) NEG Port-Specific Operations
(i) In addition to the general marine
mammal avoidance requirements
identified in (5)(a) above, vessels calling
on the NEG Port must comply with the
following additional requirements:
(A) EBRVs shall travel at 10 knots
maximum speed when transiting to/
from the TSS or to/from the NEG Port/
Pipeline Lateral area. For EBRVs, at 1.86
miles (3 km) from the NEG Port, speed
will be reduced to 3 knots and to less
than 1 knot at 1,640 ft (500 m) from the
NEG buoys, unless an emergency
situation dictates the need for an
alternate speed.
(B) EBRVs that are approaching or
departing from the NEG Port and are
within the ATBA5 surrounding the NEG
Port, shall remain at least 1 km away
from any visually-detected North
Atlantic right whale and at least 100
yards (91 m) away from all other
visually-detected whales unless an
emergency situation requires that the
vessel stay its course. During EBRV
maneuvering, the Vessel Master shall
designate at least one look-out to be
exclusively and continuously
monitoring for the presence of marine
mammals at all times while the EBRV is
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approaching or departing from the NEG
Port.
(C) During NEG Port operations, in the
event that a whale is visually observed
within 1 km of the NEG Port or a
confirmed acoustic detection is reported
on either of the two ABs closest to the
NEG Port (western-most in the TSS
array), departing EBRVs shall delay
their departure from the NEG Port,
unless an emergency situation requires
that departure is not delayed. This
departure delay shall continue until
either the observed whale has been
visually (during daylight hours)
confirmed as more than 1 km from the
NEG Port or 30 minutes have passed
without another confirmed detection
either acoustically within the acoustic
detection range of the two ABs closest
to the NEG Port, or visually within 1 km
from the NEG Port.
(ii) Vessel captains shall focus on
reducing dynamic positioning (DP)
thruster power to the maximum extent
practicable, taking into account vessel
and Port safety, during the operation
activities. Vessel captains will shut
down thrusters whenever they are not
needed.
(c) Planned and Unplanned
Maintenance and Repair Activities
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(i) NEG Port
(A) The Northeast Gateway shall
conduct empirical source level
measurements on all noise emitting
construction equipment and all vessels
that are involved in maintenance/repair
work.
(B) If dynamic positioning (DP)
systems are employed and/or activities
will emit noise with a source level of
139 dB re 1 mPa at 1 m or greater,
activities shall be conducted in
accordance with the requirements for
DP systems listed in (b)(ii) above.
(C) Northeast Gateway shall provide
the NMFS Headquarters Office of the
Protected Resources, NMFS Northeast
Region Ship Strike Coordinator, and
SBNMS with a minimum of 30 days
notice prior to any planned repair and/
or maintenance activity. For any
unplanned/emergency repair/
maintenance activity, Northeast
Gateway shall notify the agencies as
soon as it determines that repair work
must be conducted. Northeast Gateway
shall continue to keep the agencies
apprised of repair work plans as further
details (e.g., the time, location, and
nature of the repair) become available.
A final notification shall be provided to
agencies 72 hours prior to crews being
deployed into the field.
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(ii) Pipeline Lateral
(A) Pipeline maintenance/repair
vessels less than 300 GT traveling
between the shore and the maintenance/
repair area that are not generally
restricted to 10 knots shall contact the
MSR system, the USCG, or the project
site before leaving shore for reports of
active DMAs and/or recent right whale
sightings and, consistent with
navigation safety, restrict speeds to 10
knots or less within 5 miles (8 km) of
any sighting location, when travelling in
any of the seasonal management areas
(SMAs) as defined above.
(B) Maintenance/repair vessels greater
than 300 GT shall not exceed 10 knots,
unless an emergency situation that
requires speeds greater than 10 knots.
(C) Planned maintenance and repair
activities shall be restricted to the
period between May 1 and November
30.
(D) Unplanned/emergency
maintenance and repair activities shall
be conducted utilizing anchor-moored
dive vessel whenever operationally
possible.
(E) Algonquin shall also provide the
NMFS Office of the Protected Resources,
NMFS Northeast Region Ship Strike
Coordinator, and Stellwagen Bank
National Marine Sanctuary (SBNMS)
with a minimum of 30-day notice prior
to any planned repair and/or
maintenance activity. For any
unplanned/emergency repair/
maintenance activity, Northeast
Gateway shall notify the agencies as
soon as it determines that repair work
must be conducted. Algonquin shall
continue to keep the agencies apprised
of repair work plans as further details
(e.g., the time, location, and nature of
the repair) become available. A final
notification shall be provided to
agencies 72 hours prior to crews being
deployed into the field.
(F) If dynamic positioning (DP)
systems are to be employed and/or
activities will emit noise with a source
level of 139 dB re 1 mPa at 1 m or
greater, activities shall be conducted in
accordance with the requirements for
DP systems listed in (b)(ii) above.
(G) In the event that a whale is
visually observed within 0.5 mile (0.8
kilometers) of a repair or maintenance
vessel, the vessel superintendent or ondeck supervisor shall be notified
immediately. The vessel’s crew shall be
put on a heightened state of alert and
the marine mammal shall be monitored
constantly to determine if it is moving
toward the repair or maintenance area.
(H) Repair/maintenance vessel(s)
must cease any movement and/or cease
all activities that emit noises with
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source level of 139 dB re 1 mPa @1 m
or higher when a right whale is sighted
within or approaching at 500 yd (457 m)
from the vessel. Repair and maintenance
work may resume after the marine
mammal is positively reconfirmed
outside the established zones (500 yd
[457 m]) or 30 minutes have passed
without a redetection. Any vessels
transiting the maintenance area, such as
barges or tugs, must also maintain these
separation distances.
(I) Repair/maintenance vessel(s) must
cease any movement and/or cease all
activities that emit noises with source
level of 139 dB re 1 mPa @1 m or higher
when a marine mammal other than a
right whale is sighted within or
approaching at 100 yd (91 m) from the
vessel. Repair and maintenance work
may resume after the marine mammal is
positively reconfirmed outside the
established zones (100 yd [91 m]) or 30
minutes have passed without a
redetection. Any vessels transiting the
maintenance area, such as barges or
tugs, must also maintain these
separation distances.
(J) Algonquin and associated
contractors shall also comply with the
following:
(I) Operations involving equipment
with sound source levels exceeding 139
dB re 1mPa @1 m shall ‘‘ramp-up’’ sound
sources, allowing whales a chance to
leave the area before sounds reach
maximum levels. In addition, Northeast
Gateway, Algonquin, and other
associated contractors shall maintain
equipment to manufacturers’
specifications, including any soundmuffling devices or engine covers in
order to minimize noise effects. Noisy
construction equipment shall only be
used as needed and equipment shall be
turned off when not in operation.
(II) Any material that has the potential
to entangle marine mammals (e.g.,
anchor lines, cables, rope or other
construction debris) shall only be
deployed as needed and measures shall
be taken to minimize the chance of
entanglement.
(III) For any material mentioned above
that has the potential to entangle marine
mammals, such material shall be
removed from the water immediately
unless such action jeopardizes the safety
of the vessel and crew as determined by
the Captain of the vessel.
(IV) In the event that a marine
mammal becomes entangled, the marine
mammal coordinator and/or PSO will
notify NMFS (if outside the SBNMS),
and SBNMS staff (if inside the SBNMS)
immediately so that a rescue effort may
be initiated.
(K) All maintenance/repair activities
shall be scheduled to occur between
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May 1 and November 30; however, in
the event of unplanned/emergency
repair work that cannot be scheduled
during the preferred May through
November work window, the following
additional measures shall be followed
for Pipeline Lateral maintenance and
repair related activities between
December and April:
(I) Between December 1 and April 30,
if on-board PSOs do not have at least
0.5-mile visibility, they shall call for a
shutdown. At the time of shutdown, the
use of thrusters must be minimized. If
there are potential safety problems due
to the shutdown, the captain will decide
what operations can safely be shut
down.
(II) Prior to leaving the dock to begin
transit, the barge shall contact one of the
PSOs on watch to receive an update of
sightings within the visual observation
area. If the PSO has observed a North
Atlantic right whale within 30 minutes
of the transit start, the vessel shall hold
for 30 minutes and again get a clearance
to leave from the PSOs on board. PSOs
shall assess whale activity and visual
observation ability at the time of the
transit request to clear the barge for
release.
(III) Transit route, destination, sea
conditions and any marine mammal
sightings/mitigation actions during
watch shall be recorded in the log book.
Any whale sightings within 1,000 m of
the vessel shall result in a high alert and
slow speed of 4 knots or less and a
sighting within 750 m shall result in
idle speed and/or ceasing all movement.
(IV) The material barges and tugs used
in repair and maintenance shall transit
from the operations dock to the work
sites during daylight hours when
possible provided the safety of the
vessels is not compromised. Should
transit at night be required, the
maximum speed of the tug shall be 5
knots.
(V) All repair vessels must maintain a
speed of 10 knots or less during daylight
hours. All vessels shall operate at 5
knots or less at all times within 5 km of
the repair area.
mstockstill on DSK4VPTVN1PROD with NOTICES
(d) Acoustic Monitoring Related
Activities
(i) Vessels associated with
maintaining the AB network operating
as part of the mitigation/monitoring
protocols shall adhere to the following
speed restrictions and marine mammal
monitoring requirements.
(A) In accordance with 50 CFR
224.103 (c), all vessels associated with
NEG Port activities shall not approach
closer than 500 yards (460 meters) to a
North Atlantic right whale.
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(B) All vessels shall obtain the latest
DMA or right whale sighting
information via the NAVTEX, MSR,
SAS, NOAA Weather Radio, or other
available means prior to operations to
determine if there are right whales
present in the operational area.
(I) In the ORP–SMA between March 1
and April 30; and
(II) In the CCB–SMA between January
1 and May 15.
(C) All vessels shall obtain the latest
DMA or right whale sighting
information via the NAVTEX, MSR,
SAS, NOAA Weather Radio, or other
available means prior to operations to
determine if there are right whales
present in the operational area.
Mitigation Conclusions
NMFS has carefully evaluated the
mitigation measures in the context of
ensuring that NMFS prescribes the
means of effecting the least practicable
impact on the affected marine mammal
species and stocks and their habitat. Our
evaluation of potential measures
included consideration of the following
factors in relation to one another:
• The manner in which, and the degree to
which, the successful implementation of the
measure is expected to minimize adverse
impacts to marine mammals;
• The proven or likely efficacy of the
specific measure to minimize adverse
impacts as planned; and
• The practicability of the measure for
applicant implementation.
Based on our evaluation of mitigation
measures, NMFS has determined that
the mitigation measures provide the
means of effecting the least practicable
impact on marine mammal species or
stocks and their habitat, paying
particular attention to rookeries, mating
grounds, and areas of similar
significance.
Monitoring and Reporting Measures
In order to issue an ITA for an
activity, section 101(a)(5)(D) of the
MMPA states that NMFS must set forth
‘‘requirements pertaining to the
monitoring and reporting of such
taking.’’ The MMPA implementing
regulations at 50 CFR 216.104(a)(13)
indicate that requests for ITAs must
include the suggested means of
accomplishing the necessary monitoring
and reporting that will result in
increased knowledge of the species and
of the level of taking or impacts on
populations of marine mammals that are
expected to be present in the proposed
action area.
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78815
Monitoring Measures
(a) Vessel-Based Visual Monitoring
(i) Vessel-based monitoring for marine
mammals shall be done by trained lookouts during NEG LNG Port and Pipeline
Lateral operations and maintenance and
repair activities. The observers shall
monitor the occurrence of marine
mammals near the vessels during LNG
Port and Pipeline Lateral related
activities. Lookout duties include
watching for and identifying marine
mammals; recording their numbers,
distances, and reactions to the activities;
and documenting ‘‘take by harassment’’.
(ii) The vessel look-outs assigned to
visually monitor for the presence of
marine mammals shall be provided with
the following:
(A) Recent NAVTEX, NOAA Weather
Radio, SAS and/or acoustic monitoring
buoy detection data;
(B) Binoculars to support
observations;
(C) Marine mammal detection guide
sheets; and
(D) Sighting log.
(b) NEG LNG Port Operations
(i) All individuals onboard the EBRVs
responsible for the navigation duties
and any other personnel that could be
assigned to monitor for marine
mammals shall receive training on
marine mammal sighting/reporting and
vessel strike avoidance measures.
(ii) While an EBRV is navigating
within the designated TSS, there shall
be three people with look-out duties on
or near the bridge of the ship including
the Master, the Officer-of-the-Watch and
the Helmsman-on-watch. In addition to
the standard watch procedures, while
the EBRV is transiting within the
designated TSS, maneuvering within
the Area to be Avoided (ATBA), and/or
while actively engaging in the use of
thrusters, an additional look-out shall be
designated to exclusively and
continuously monitor for marine
mammals.
(iii) All sightings of marine mammals
by the designated look-out, individuals
posted to navigational look-out duties
and/or any other crew member while
the EBRV is transiting within the TSS,
maneuvering within the ATBA and/or
when actively engaging in the use of
thrusters, shall be immediately reported
to the Officer-of-the-Watch who shall
then alert the Master. The Master or
Officer-of-the-Watch shall ensure the
required reporting procedures are
followed and the designated marine
mammal look-out records all pertinent
information relevant to the sighting.
(iv) Visual sightings made by lookouts from the EBRVs shall be recorded
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using a standard sighting log form.
Estimated locations shall be reported for
each individual and/or group of
individuals categorized by species when
known. This data shall be entered into
a database and a summary of monthly
sighting activity shall be provided to
NMFS. Estimates of take and copies of
these log sheets shall also be included
in the reports to NMFS.
(c) Planned and Unplanned
Maintenance and Repair
(i) Two (2) qualified and NMFSapproved protected species observers
(PSOs) shall be assigned to each vessel
that will use dynamic positioning (DP)
systems during maintenance and repair
related activities. PSOs shall operate
individually in designated shifts to
accommodate adequate rest schedules.
Additional PSOs shall be assigned to
additional vessels if auto-detection buoy
(AB) data indicates that sound levels
exceed 120 dB re 1 mPa, further then 100
meters (328 feet) from these vessels.
(ii) All PSOs shall receive NMFSapproved marine mammal observer
training and be approved in advance by
NMFS after review of their resume. All
PSOs shall have direct field experience
on marine mammal vessels and/or aerial
surveys in the Atlantic Ocean/Gulf of
Mexico.
(iii) PSOs (one primary and one
secondary) shall be responsible for
visually locating marine mammals at the
ocean’s surface and, to the extent
possible, identifying the species. The
primary PSO shall act as the
identification specialist and the
secondary PSO will serve as data
recorder and also assist with
identification. Both PSOs shall have
responsibility for monitoring for the
presence of marine mammals and sea
turtles. Specifically PSO’s shall:
(A) Monitor at all hours of the day,
scanning the ocean surface by eye for a
minimum of 40 minutes every hour.
(B) Monitor the area where
maintenance and repair work is
conducted beginning at daybreak using
25× power binoculars and/or hand-held
binoculars. Night vision devices must be
provided as standard equipment for
monitoring during low-light hours and
at night.
(C) Conduct general 360° visual
monitoring during any given watch
period and target scanning by the
observer shall occur when alerted of a
whale presence.
(D) Alert the vessel superintendent or
construction crew supervisor of visual
detections within 2 miles (3.31
kilometers) immediately.
(E) Record all sightings on marine
mammal field sighting logs.
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Jkt 235001
Specifically, all data shall be entered at
the time of observation, notes of
activities will be kept, and a daily report
prepared and attached to the daily field
sighting log form. The basic reporting
requirements include the following:
• Beaufort sea state;
• Wind speed;
• Wind direction;
• Temperature;
• Precipitation;
• Glare;
• Percent cloud cover;
• Number of animals;
• Species;
• Position;
• Distance;
• Behavior;
• Direction of movement; and
• Apparent reaction to construction
activity.
(iv) In the event that a whale is
visually observed within the 2-mile
(3.31-kilometers) zone of influence
(ZOI) of a DP vessel or other
construction vessel that has shown to
emit noise with source level in excess
of 139 dB re 1 mPa @ 1 m, the PSO will
notify the repair/maintenance
construction crew to minimize the use
of thrusters until the animal has moved
away, unless there are divers in the
water or an ROV is deployed.
(d) Acoustic Monitoring
(i) Northeast Gateway shall deploy 10
ABs within the Separation Zone of the
TSS for the operational life of the
Project.
(ii) The ABs shall be used to detect a
calling North Atlantic right whale an
average of 5 nm from each AB. The AB
system shall be the primary detection
mechanism that alerts the EBRV Master
to the occurrence of right whales,
heightens EBRV awareness, and triggers
necessary mitigation actions as
described in section (5) above.
(iii) Northeast Gateway shall conduct
short-term passive acoustic monitoring
to document sound levels during:
(A) The initial operational events in
the 2014–2015 winter heating season;
(B) regular deliveries outside the
winter heating season should such
deliveries occur; and (C) scheduled and
unscheduled maintenance and repair
activities.
(iv) Northeast Gateway shall conduct
long-term monitoring of the noise
environment in Massachusetts Bay in
the vicinity of the NEG Port and
Pipeline Lateral using marine
autonomous recording units (MARUs)
when there is anticipated to be more
than 5 LNG shipments in a 30-day
period or over 20 shipments in a sixmonth period.
(v) The acoustic data collected in
6(d)(ii) shall be analyzed to document
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the seasonal occurrences and overall
distributions of whales (primarily fin,
humpback and right whales) within
approximately 10 nm of the NEG Port
and shall measure and document the
noise ‘‘budget’’ of Massachusetts Bay so
as to eventually assist in determining
whether or not an overall increase in
noise in the Bay associated with the
Project might be having a potentially
negative impact on marine mammals.
(vi) Northeast Gateway shall make all
acoustic data, including data previously
collected by the MARUs during prior
construction, operations, and
maintenance and repair activities,
available to NOAA. Data storage will be
the responsibility of NOAA.
(e) Acoustic Whale Detection and
Response Plan
(i) NEG Port Operations
(A) Ten (10) ABs that have been
deployed since 2007 shall be used to
continuously screen the low-frequency
acoustic environment (less than 1,000
Hertz) for right whale contact calls
occurring within an approximately 5nm radius from each buoy (the AB’s
detection range).
(B) Once a confirmed detection is
made, the Master of any EBRVs
operating in the area will be alerted
immediately.
(ii) NEG Port and Pipeline Lateral
Planned and Unplanned/Emergency
Repair and Maintenance Activities
(A) If the repair/maintenance work is
located outside of the detectible range of
the 10 project area ABs, Northeast
Gateway and Algonquin shall consult
with NOAA (NMFS and SBNMS) to
determine if the work to be conducted
warrants the temporary installation of
an additional AB(s) to help detect and
provide early warnings for potential
occurrence of right whales in the
vicinity of the repair area.
(B) The number of ABs installed
around the activity site shall be
commensurate with the type and spatial
extent of maintenance/repair work
required, but must be sufficient to detect
vocalizing right whales within the 120dB impact zone.
(C) Should acoustic monitoring be
deemed necessary during a planned or
unplanned/emergency repair and/or
maintenance event, active monitoring
for right whale calls shall begin 24
hours prior to the start of activities.
(D) Revised noise level data from the
acoustic recording units deployed in the
NEG Port and/or Pipeline Lateral
maintenance and repair area shall be
provided to NMFS.
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Reporting Measures
(a) Throughout NEG Port and Pipeline
Lateral operations, Northeast Gateway
and Algonquin shall provide a monthly
Monitoring Report. The Monitoring
Report shall include:
(i) Both copies of the raw visual EBRV
lookout sighting information of marine
mammals that occurred within 2 miles
of the EBRV while the vessel transits
within the TSS, maneuvers within the
ATBA, and/or when actively engaging
in the use of thrusters, and a summary
of the data collected by the look-outs
over each reporting period.
(ii) Copies of the raw PSO sightings
information on marine mammals
gathered during pipeline repair or
maintenance activities. This visual
sighting data shall then be correlated to
periods of thruster activity to provide
estimates of marine mammal takes (per
species/species class) that took place
during each reporting period.
(iii) Conclusion of any planned or
unplanned/emergency repair and/or
maintenance period, a report shall be
submitted to NMFS summarizing the
repair/maintenance activities, marine
mammal sightings (both visual and
acoustic), empirical source-level
measurements taken during the repair
work, and any mitigation measures
taken.
(b) During the maintenance and repair
of NEG Port and Pipeline Lateral
components, weekly status reports shall
be provided to NOAA (both NMFS and
SBNMS) using standardized reporting
forms. The weekly reports shall include
data collected for each distinct marine
mammal species observed in the repair/
maintenance area during the period that
maintenance and repair activities were
taking place. The weekly reports shall
include the following information:
(i) Location (in longitude and latitude
coordinates), time, and the nature of the
maintenance and repair activities;
(ii) Indication of whether a DP system
was operated, and if so, the number of
thrusters being used and the time and
duration of DP operation;
(iii) Marine mammals observed in the
area (number, species, age group, and
initial behavior);
(iv) The distance of observed marine
mammals from the maintenance and
repair activities;
(v) Changes, if any, in marine
mammal behaviors during the
observation;
(vi) A description of any mitigation
measures (power-down, shutdown, etc.)
implemented;
(vii) Weather condition (Beaufort sea
state, wind speed, wind direction,
ambient temperature, precipitation, and
percent cloud cover etc.);
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(viii) Condition of the observation
(visibility and glare); and
(ix) Details of passive acoustic
detections and any action taken in
response to those detections.
(d) Injured/Dead Protected Species
Reporting
(i) In the unanticipated event that
survey operations clearly cause the take
of a marine mammal in a manner
prohibited by the proposed IHA, such as
an injury (Level A harassment), serious
injury or mortality (e.g., ship-strike, gear
interaction, and/or entanglement), NEG
and/or Algonquin shall immediately
cease activities and immediately report
the incident to the Supervisor of the
Incidental Take Program, Permits and
Conservation Division, Office of
Protected Resources, NMFS, at 301–
427–8401 and/or by email to
Jolie.Harrison@noaa.gov and
Shane.Guan@noaa.gov and the
Northeast Regional Stranding
Coordinators (Mendy.Garron@noaa.gov
or Lanni.Hall@noaa.gov) or by phone at
978–281–9300. The report must include
the following information:
(A) Time, date, and location (latitude/
longitude) of the incident;
(B) the name and type of vessel
involved;
(C) the vessel’s speed during and
leading up to the incident;
(D) description of the incident;
(E) status of all sound source use in
the 24 hours preceding the incident;
(F) water depth;
(G) environmental conditions (e.g.,
wind speed and direction, Beaufort sea
state, cloud cover, and visibility);
(H) description of marine mammal
observations in the 24 hours preceding
the incident;
(I) species identification or
description of the animal(s) involved;
(J) the fate of the animal(s); and
(K) photographs or video footage of
the animal (if equipment is available).
Activities shall not resume until
NMFS is able to review the
circumstances of the prohibited take.
NMFS shall work with NEG and/or
Algonquin to determine what is
necessary to minimize the likelihood of
further prohibited take and ensure
MMPA compliance. NEG and/or
Algonquin may not resume their
activities until notified by NMFS via
letter, email, or telephone.
(ii) In the event that NEG and/or
Algonquin discovers an injured or dead
marine mammal, and the lead PSO
determines that the cause of the injury
or death is unknown and the death is
relatively recent (i.e., in less than a
moderate state of decomposition as
described in the next paragraph), NEG
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78817
and/or Algonquin will immediately
report the incident to the Supervisor of
the Incidental Take Program, Permits
and Conservation Division, Office of
Protected Resources, NMFS, at 301–
427–8401, and/or by email to
Jolie.Harrison@noaa.gov and
Shane.Guan@noaa.gov and the NMFS
Northeast Stranding Coordinators
(Mendy.Garron@noaa.gov or
Lanni.Hall@noaa.gov) or by phone at
978–281–9300, within 24 hours of the
discovery. The report must include the
same information identified above.
Activities may continue while NMFS
reviews the circumstances of the
incident. NMFS will work with NEG
and/or Algonquin to determine whether
modifications in the activities are
appropriate.
(iii) In the event that NEG or
Algonquin discovers an injured or dead
marine mammal, and the lead PSO
determines that the injury or death is
not associated with or related to the
activities authorized (if the IHA is
issued) (e.g., previously wounded
animal, carcass with moderate to
advanced decomposition, or scavenger
damage), NEG and/or Algonquin shall
report the incident to the Supervisor of
the Incidental Take Program, Permits
and Conservation Division, Office of
Protected Resources, NMFS, at 301–
427–8401, and/or by email to
Jolie.Harrison@noaa.gov and
Shane.Guan@noaa.gov and the NMFS
Northeast Stranding Coordinators
(Mendy.Garron@noaa.gov or
Lanni.Hall@noaa.gov) or by phone at
978–281–9300, within 24 hours of the
discovery. NEG and/or Algonquin shall
provide photographs or video footage (if
available) or other documentation of the
stranded animal sighting to NMFS and
the Marine Mammal Stranding Network.
NEG and/or Algonquin can continue its
operations under such a case.
Summary of Previous Monitoring
Reports
Based on monthly activity reports
submitted to NMFS for the period
between August 2010 and January 2014,
there were no activities at the NEG Port
during the period. Therefore, no take of
marine mammals occurred or were
reported during this period.
Estimated Take by Incidental
Harassment
Except with respect to certain
activities not pertinent here, the MMPA
defines ‘‘harassment’’ as: Any act of
pursuit, torment, or annoyance which (i)
has the potential to injure a marine
mammal or marine mammal stock in the
wild [Level A harassment]; or (ii) has
the potential to disturb a marine
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mammal or marine mammal stock in the
wild by causing disruption of behavioral
patterns, including, but not limited to,
migration, breathing, nursing, breeding,
feeding, or sheltering [Level B
harassment]. Only take by Level B
harassment is anticipated as a result of
NEG’s operation and maintenance and
repair activities. Anticipated take of
marine mammals is associated with
operation of dynamic positioning during
the docking of the LNG vessels and
positioning of maintenance and dive
vessels, and by operations of certain
machinery during maintenance and
repair activities. The regasification
process itself is an activity that does not
rise to the level of taking, as the
modeled source level for this activity is
108 dB, which is below our current
threshold for Level B harassment.
Certain species may have a behavioral
reaction to the sound emitted during the
activities. Hearing impairment is not
anticipated. Additionally, vessel strikes
are not anticipated, especially because
of the speed restriction measures that
are required and were described earlier
in this document.
The full suite of potential impacts to
marine mammals was described in
detail in the ‘‘Potential Effects of the
Specified Activity on Marine Mammals’’
section in the 2013 proposed IHA
notice. The potential effects of sound
from the proposed open water marine
survey programs might include one or
more of the following: masking of
natural sounds; behavioral disturbance;
non-auditory physical effects; and, at
least in theory, temporary or permanent
hearing impairment (Richardson et al.
1995). As discussed earlier in this
document, the most common impact
will likely be from behavioral
disturbance, including avoidance of the
ensonified area or changes in speed,
direction, and/or diving profile of the
animal. For reasons discussed
previously in this document, temporary
or permanent hearing impairment (TTS
and PTS, respectively) is highly
unlikely to occur based on the proposed
mitigation and monitoring measures
that would preclude marine mammals
from being exposed to noise levels high
enough to cause hearing impairment.
For non-pulse sounds, such as those
produced by operating dynamic
positioning (DP) thruster during vessel
docking and supporting underwater
construction and repair activities and
the operations of various machineries
that produces non-pulse noises, NMFS
uses the 120 dB (rms) re 1 mPa isopleth
to indicate the onset of Level B
harassment.
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NEG Port and Algonquin Pipeline
Lateral Activities Acoustic Footprints
I. NEG Port Operations
For the purposes of understanding the
noise footprint of operations at the NEG
Port, measurements taken to capture
operational noise (docking, undocking,
regasification, and EBRV thruster use)
during the 2006 Gulf of Mexico field
event were taken at the source.
Measurements taken during EBRV
transit were normalized to a distance of
328 feet (100 meters) to serve as a basis
for modeling sound propagation at the
NEG Port site in Massachusetts Bay.
Sound propagation calculations for
operational activities were then
completed at two positions in
Massachusetts Bay to determine sitespecific distances to the 120/160/180 dB
isopleths:
• Operations Position 1—Port (EBRV
Operations): 70°36.261′ W and 42°23.790′ N
• Operations Position 2—Boston TSS
(EBRV Transit): 70°17.621′ W and 42°17.539′
N
At each of these locations sound
propagation calculations were
performed to determine the noise
footprint of the operation activity at
each of the specified locations.
Calculations were performed in
accordance with Marsh and Schulkin
(1985) and Richardson et al. (1995) and
took into consideration aspects of water
depth, sea state, bathymetry, and seabed
composition. In addition, the acoustic
modeling performed specifically
evaluated sound energy in 1/3-octave
spectral bands covering frequencies
from 12.5 Hz to 20 kHz. The resultant
distances to the 120 dB isopleth are
presented in Table 1.
thruster use. To confirm these modeled
results and better understand the noise
footprint associated with construction
activities at the NEG Port, field
measurements were taken of various
construction activities during the 2007
NEG Port and Algonquin Pipeline
Lateral Construction period.
Measurements were taken and
normalized as described to establish the
‘‘loudest’’ potential construction
measurement event. One position
within Massachusetts Bay was then
used to determine site-specific distances
to the 120/180 dB isopleths for NEG
Port maintenance and repair activities:
• Construction Position 1. Port: 70°36.261′
W and 42°23.790′ N
Sound propagation calculations were
performed to determine the noise
footprint of the construction activity.
The calculations took into consideration
aspects of water depth, sea state,
bathymetry, and seabed composition,
and specifically evaluated sound energy
in the range that encompasses the
auditory frequencies of marine
mammals and at which sound
propagates beyond the immediate
vicinity of the source. These results
were then summed across frequencies to
provide the broadband received levels at
receptor locations. The results showed
that the estimated distance from the
loudest source involved in construction
activities fell to 120 dB re 1 mPa at a
distance of 3,600 m.
III. Algonquin Pipeline Lateral
Maintenance and Repair Activities
Modeling analysis conducted during
the NEG Port and Pipeline Lateral
construction concluded that the only
underwater noise of critical concern
during such activities would be from
TABLE 1—RADII OF 120-DB SPL
vessel noises such as turning screws,
ISOPLETHS FROM NEG LNG OPER- engine noise, noise of operating
ATIONS
machinery, and thruster use. As with
construction noise at the NEG Port, to
Radius to
confirm modeled results and better
120-dB
understand the noise footprint
zone (m)
associated with construction activities
along the Algonquin Pipeline Lateral,
One EBRV docking procedure
with support vessel ...............
4,250 field measurements were taken of
Two EBRV docking procedure
various construction activities during
with support vessel ...............
5,500 the 2007 NEG Port and Algonquin
EBRV regasification ..................
<300 Pipeline Lateral construction period.
EBRV transiting the TSS (10
Measurements were taken and
knot) ......................................
1,750
normalized to establish the ‘‘loudest’’
potential construction measurement
II. NEG Port Maintenance and Repair
event. Two positions within
Modeling analysis conducted for the
Massachusetts Bay were then used to
construction of the NEG Port concluded determine site-specific distances to the
that the only underwater noise of
120/160/180 dB isopleths:
critical concern during NEG Port
• Construction Position 2. PLEM:
construction would be from vessel
70°46.755′ W and 42°28.764′ N
noises such as turning screws, engine
• Construction Position 3. Mid-Pipeline:
noise, noise of operating machinery, and 70°40.842′ W and 42°31.328′ N
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Sound propagation calculations were
performed to determine the noise
footprint of the construction activity.
The calculations took into consideration
aspects of water depth, sea state,
bathymetry, and seabed composition,
and specifically evaluated sound energy
in the range that encompasses the
auditory frequencies of marine
mammals and at which sound
propagates beyond the immediate
vicinity of the source. These results
were then summed across frequencies to
provide the broadband received levels at
receptor locations. The results of the
distances to the 120-dB isopleths are
shown in Table 2.
TABLE 2—RADII OF 120-DB SPL
ISOPLETHS FROM ALGONQUIN PIPELINE LATERAL MAINTENANCE AND
REPAIR
Radius to
120-dB
zone (m)
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Barge/tug (pulling & pushing)/
construction vessel/barge
@PLEM .................................
Barge/tug (pulling & pushing)/
construction vessel/barge
@mid-pipeline .......................
3,600
2,831
The basis for Northeast Gateway and
Algonquin’s take estimate is the number
of marine mammals that would be
exposed to sound levels at or in excess
of 120 dB, which is the threshold used
by NMFS for harassment from nonpulse sounds. For the NEG LNG Port
and Algonquin Pipeline Lateral
operations and maintenance and repair
activities, the take estimates are
determined by multiplying the 120-dB
ensonified area by local marine mammal
density estimates, and then multiplying
by the estimated number of days such
activities would occur during a yearlong period. For the NEG Port
operations, the 120-dB ensonfied area is
56.8 km2 for a single visit during
docking when running DP system. For
NEG Port and Algonquin Pipeline
Lateral maintenance and repair
activities, modeling based on the
empirical measurements showed that
the distance of the 120-dB radius is
expected to be 3.6 km, making a
maximum 120-dB ZOI area of
approximately 40.7 km2.
Although there have been no LNG
deliveries since February 2010 at the
NEG LNG Port, under full operation,
NEG expects it would receive up to 65
LNG shipments per year, and would
require 14 days for NEG Port
maintenance and up to 40 days for
planned and unplanned Algonquin
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Pipeline Lateral maintenance and
repair.
NMFS recognizes that baleen whale
species other than North Atlantic right
whales have been sighted in the project
area from May to November. However,
the occurrence and abundance of fin,
humpback, and minke whales is not
well documented within the project
area. Nonetheless, NMFS uses the data
on cetacean distribution within
Massachusetts Bay, such as those
published by the National Centers for
Coastal Ocean Science (NCCOS 2006),
to estimate potential takes of marine
mammals species in the vicinity of
project area.
The NCCOS study used cetacean
sightings from two sources: (1) the
North Atlantic Right Whale Consortium
(NARWC) sightings database held at the
University of Rhode Island (Kenney,
2001); and (2) the Manomet Bird
Observatory (MBO) database, held at
NMFS Northeast Fisheries Science
Center (NEFSC). The NARWC data
contained survey efforts and sightings
data from ship and aerial surveys and
opportunistic sources between 1970 and
2005. The main data contributors
included: Cetacean and Turtles
Assessment Program (CETAP), Canadian
Department of Fisheries and Oceans,
PCCS, International Fund for Animal
Welfare, NOAA’s NEFSC, New England
Aquarium, Woods Hole Oceanographic
Institution, and the University of Rhode
Island. A total of 653,725 km (406,293
mi) of survey track and 34,589 cetacean
observations were provisionally selected
for the NCCOS study in order to
minimize bias from uneven allocation of
survey effort in both time and space.
The sightings-per-unit-effort (SPUE) was
calculated for all cetacean species by
month covering the southern Gulf of
Maine study area, which also includes
the project area (NCCOS, 2006).
The MBO’s Cetacean and Seabird
Assessment Program (CSAP) was
contracted from 1980 to 1988 by NMFS
NEFSC to provide an assessment of the
relative abundance and distribution of
cetaceans, seabirds, and marine turtles
in the shelf waters of the northeastern
United States (MBO, 1987). The CSAP
program was designed to be completely
compatible with NMFS NEFSC
databases so that marine mammal data
could be compared directly with
fisheries data throughout the time series
during which both types of information
were gathered. A total of 5,210 km
(8,383 mi) of survey distance and 636
cetacean observations from the MBO
data were included in the NCCOS
analysis. Combined valid survey effort
for the NCCOS studies included 567,955
km (913,840 mi) of survey track for
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78819
small cetaceans (dolphins and
porpoises) and 658,935 km (1,060,226
mi) for large cetaceans (whales) in the
southern Gulf of Maine. The NCCOS
study then combined these two data sets
by extracting cetacean sighting records,
updating database field names to match
the NARWC database, creating geometry
to represent survey tracklines and
applying a set of data selection criteria
designed to minimize uncertainty and
bias in the data used.
Owing to the comprehensiveness and
total coverage of the NCCOS cetacean
distribution and abundance study,
NMFS calculated the estimated take
number of marine mammals based on
the most recent NCCOS report
published in December 2006. A
summary of seasonal cetacean
distribution and abundance in the
project area is provided above, in the
‘‘Description of Marine Mammals in the
Area of the Specified Activities’’
section. For a detailed description and
calculation of the cetacean abundance
data and SPUE, please refer to the
NCCOS study (NCCOS, 2006). These
data show that the relative abundance of
North Atlantic right, fin, humpback,
minke, sei, and pilot whales, and
Atlantic white-sided dolphins for all
seasons, as calculated by SPUE in
number of animals per square kilometer,
is 0.0082, 0.0097, 0.0118, 0.0059,
0.0084, 0.0407, and 0.1314 n/km,
respectively.
In calculating the area density of these
species from these linear density data,
NMFS used 0.5 mi (0.825 km) as the
hypothetical strip width (W). This strip
width is based on the distance of
visibility used in the NARWC data that
was part of the NCCOS (2006) study.
However, those surveys used a strip
transect instead of a line transect
methodology. Therefore, in order to
obtain a strip width, one must divide
the visibility or transect value in half.
Since the visibility value used in the
NARWC data was 2.3 mi (3.7 km), it
thus gives a strip width of 1.15 mi (1.85
km). The hypothetical strip width used
in the analysis is less than half of that
derived from the NARWC data,
therefore, the analysis provided here is
more protective in calculating marine
mammal densities in the area. Based on
this information, the area density (D) of
these species in the project area can be
obtained by the following formula:
D = SPUE/2W
where D is marine mammal density in
the area, and W is the strip width. Based
on this calculation method, the
estimated take numbers per year for
North Atlantic right, fin, humpback,
minke, sei, and pilot whales, and
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Atlantic white-sided dolphins by the
NEG Port facility operations (maximum
65 visits per year), NEG Port
maintenance and repair (up to 14 days
per year), and Algonquin Pipeline
Lateral operation and maintenance (up
to 40 days per year), are 29, 35, 42, 21,
30, 145, and 469, respectively (Table 3).
These numbers represent approximately
6.59%, 1%, 5.12%, 0.1%, 8.4%, 1.2%,
and 1% of the populations for these
species based on the latest NMFS
Atlantic marine mammal stock
assessment reports (Waring et al. 2013),
respectively. Since it is very likely that
individual animals could be ‘‘taken’’ by
harassment multiple times, these
percentages are the upper boundary of
the animal population that could be
affected. The actual number of
individual animals being exposed or
taken would likely be far less. There is
no danger of injury, death, or hearing
impairment from the exposure to these
noise levels.
TABLE 3—ESTIMATED ANNUAL TAKES, BY LEVEL B HARASSMENT, OF MARINE MAMMALS FROM THE NEG PORT AND
ALGONQUIN PIPELINE LATERAL OPERATIONS AND MAINTENANCE AND REPAIR ACTIVITIES IN MASSACHUSETTS BAY
Population/stock
Right whale ...................................................................................
Humpback whale ...........................................................................
Fin whale .......................................................................................
Sei whale .......................................................................................
Minke whale ..................................................................................
Long-finned pilot whale .................................................................
Atlantic white-sided dolphin ..........................................................
Bottlenose dolphin .........................................................................
Short-beaked common dolphin .....................................................
Risso’s dolphin ..............................................................................
Killer whale ....................................................................................
Harbor porpoise ............................................................................
Harbor seal ....................................................................................
Gray seal .......................................................................................
mstockstill on DSK4VPTVN1PROD with NOTICES
Species
Western Atlantic ...........................................................................
Gulf of Maine ...............................................................................
Western North Atlantic .................................................................
Nova Scotia .................................................................................
Canadian East Coast ...................................................................
Western North Atlantic .................................................................
Western North Atlantic .................................................................
Western North Atlantic Southern Migratory .................................
Western North Atlantic .................................................................
Western North Atlantic .................................................................
Western North Atlantic .................................................................
Gulf of Maine/Bay of Fundy .........................................................
Western North Atlantic .................................................................
Western North Atlantic .................................................................
In addition, bottlenose dolphins,
common dolphins, killer whales, Risso’s
dolphins, harbor porpoises, harbor
seals, and gray seals could also be taken
by Level B harassment as a result of
deepwater NEG Port and Algonquin
Pipeline Lateral operations and
maintenance and repair. Since these
species are less likely to occur in the
area, and there are no density estimates
specific to this particular area, NMFS
based the take estimates on typical
group size. Therefore, NMFS estimates
that up to approximately 20 bottlenose
dolphins, 40 short-beaked common
dolphins, 40 Risso’s dolphins, 10 killer
whales, 20 harbor porpoises, 60 harbor
seals, and 30 gray seals could be
exposed to continuous noise at or above
120 dB re 1 mPa rms incidental to
operations during the one year period of
the IHA, respectively. These numbers
represent 0.16%, 0.06%, 0.26%, and
0.03% of the bottlenose dolphin, shortbeaked common dolphin, Risso’s
dolphin, and harbor porpoise
populations/stocks. Since no
population/stock estimates for killer
whale, and harbor and gray seals is
available, the percentage of estimated
takes for these species is unknown.
Nevertheless, since Massachusetts Bay
represents only a small fraction of the
western North Atlantic basin where
these animals occur, NMFS has
determined that the takes of 10 killer
whales, 60 harbor seals, and 30 gray
seals represent a relatively small
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22:02 Dec 30, 2014
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number of marine mammals of the
affected species or populations stocks
(Table 3). The take estimates presented
in this section of the document do not
take into consideration the mitigation
and monitoring measures that are
required in the IHA.
Negligible Impact and Small Numbers
Analysis and Determination
NMFS has defined ‘‘negligible
impact’’ in 50 CFR 216.103 as ‘‘. . . an
impact resulting from the specified
activity that cannot be reasonably
expected to, and is not reasonably likely
to, adversely affect the species or stock
through effects on annual rates of
recruitment or survival.’’ In making a
negligible impact determination, NMFS
considers a variety of factors, including
but not limited to: (1) The number of
anticipated mortalities; (2) the number
and nature of anticipated injuries; (3)
the number, nature, intensity, and
duration of Level B harassment; and (4)
the context in which the takes occur.
No injuries or mortalities are
anticipated to occur as a result of
Northeast Gateway LNG Port Algonquin
Pipeline Lateral operations and
maintenance and repair activities, and
none are authorized by NMFS.
Additionally, animals in the area are not
anticipated to incur any hearing
impairment (i.e., TTS or PTS), as the
modeling of source levels indicates that
none of the source received levels
exceed 180 dB (rms).
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Number of
takes
29
42
35
30
21
145
469
20
40
40
10
20
60
30
While some of the species occur in
the proposed project area year-round,
some species only occur in the area
during certain seasons. Humpback and
minke whales are not expected in the
project area in the winter. During the
winter, a large portion of the North
Atlantic right whale population occurs
in the southeastern U.S. calving grounds
(i.e., South Carolina, Georgia, and
northern Florida). The fact that certain
activities will occur during times when
certain species are not commonly found
in the area will help reduce the amount
of Level B harassment for these species.
Many animals perform vital functions,
such as feeding, resting, traveling, and
socializing, on a diel cycle (24-hr cycle).
Behavioral reactions to noise exposure
(such as disruption of critical life
functions, displacement, or avoidance of
important habitat) are more likely to be
significant if they last more than one
diel cycle or recur on subsequent days
(Southall et al., 2007). Consequently, a
behavioral response lasting less than
one day and not recurring on
subsequent days is not considered
particularly severe unless it could
directly affect reproduction or survival
(Southall et al. 2007). Operational
activities are not anticipated to occur at
the Port on consecutive days. In
addition, Northeast Gateway EBRVs are
expected to make a maximum of 65 port
calls throughout the year (and likely
less), with thruster use needed for a
couple of hours. Therefore, Northeast
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Gateway will not be creating increased
sound levels in the marine environment
for prolonged periods of time.
Of the 14 marine mammal species
likely to occur in the area, four are listed
as endangered under the ESA: North
Atlantic right, humpback, and fin
whales. All of these species are also
considered depleted under the MMPA.
There is currently no designated critical
habitat or known reproductive areas for
any of these species in or near the
proposed project area. However, there
are several well-known North Atlantic
right whale feeding grounds in the Cape
Cod Bay and Great South Channel. No
mortality or injury is expected to occur,
and due to the nature, degree, and
context of the Level B harassment
anticipated, the activity is not expected
to impact rates of recruitment or
survival. There is no critical habitat or
biologically important areas for marine
mammals within the proposed project
area.
The population estimates for the
species that may be taken by Level B
behavioral harassment contained in the
most recent U.S. Atlantic Stock
Assessment Reports were provided
earlier in this document. From the most
protective estimates of both marine
mammal densities in the project area
and the size of the 120-dB ZOI, the
maximum calculated number of
individual marine mammals for each
species that could potentially be
harassed annually is small relative to
the overall population sizes.
Based on the analysis contained
herein of the likely effects of the
specified activity on marine mammals
and their habitat, and taking into
consideration the implementation of the
mitigation and monitoring measures,
NMFS finds that the proposed Northeast
Gateway LNG Port and Algonquin
Pipeline Lateral operations and
maintenance and repair activities would
result in the incidental take of small
numbers of marine mammals, by Level
B harassment only, and that the total
taking from Northeast Gateway and
Algonquin’s proposed activities will
have a negligible impact on the affected
species or stocks.
mstockstill on DSK4VPTVN1PROD with NOTICES
Impact on Availability of Affected
Species or Stock for Taking for
Subsistence Uses
There are no relevant subsistence uses
of marine mammals implicated by this
action. Therefore, NMFS has
determined that the total taking of
affected species or stocks would not
have an unmitigable adverse impact on
the availability of such species or stocks
for taking for subsistence purposes.
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22:02 Dec 30, 2014
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Endangered Species Act (ESA)
Our November 18, 2013, Federal
Register notice of proposed IHA
described the history and status of
Endangered Species Act (ESA)
compliance for the NE Gateway LNG
facility. As explained in that notice, the
biological opinions for construction and
operation of the facility only analyzed
impacts on ESA-listed species from
activities under the initial construction
period and during operations, and did
not take into consideration potential
impacts to marine mammals that could
result from the subsequent LNG Port
and Pipeline Lateral maintenance and
repair activities. In addition, NEG also
revealed that significantly more water
usage and vessel operating air emissions
are needed from what was originally
evaluated for the LNG Port operation.
NMFS PR1 initiated consultation with
NMFS Greater Atlantic Region Fisheries
Office under section 7 of the ESA on the
proposed issuance of an IHA to NEG
under section 101(a)(5)(D) of the MMPA
for the proposed activities that include
increased NEG Port and Algonquin
Pipeline Lateral maintenance and repair
and water usage for the LNG Port
operations this activity. A Biological
Opinion was issued on November 21,
2014, and concluded that the proposed
action may adversely affect but is not
likely to jeopardize the continued
existence of ESA-listed right,
humpback, fin, and sei whales.
National Environmental Policy Act
MARAD and the USCG released a
Final EIS/Environmental Impact Report
(EIR) for the proposed Northeast
Gateway Port and Pipeline Lateral. A
notice of availability was published by
MARAD on October 26, 2006 (71 FR
62657). The Final EIS/EIR provides
detailed information on the proposed
project facilities, construction methods
and analysis of potential impacts on
marine mammals.
NMFS was a cooperating agency (as
defined by the Council on
Environmental Quality (40 CFR 1501.6))
in the preparation of the Draft and Final
EISs. NMFS reviewed the Final EIS and
adopted it on May 4, 2007. NMFS
issued a separate Record of Decision for
issuance of authorizations pursuant to
section 101(a)(5) of the MMPA for the
construction and operation of the
Northeast Gateway’s LNG Port Facility
in Massachusetts Bay. A 2010
environmental assessment/
environmental impact assessment
conducted by TetraTech analyzed the
increased water usage and other
operational changes. We reviewed that
document to determine whether there is
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78821
a need for supplemental NEPA analysis
based on any substantial changes
between the current proposed action
and the proposed action analyzed for
the FEIS/EIR or any significant new
circumstances or information relevant to
environmental concerns and bearing on
the proposed action or its impacts.
Based on our review of that analysis, we
have determined that supplementation
was not required.
Authorization
NMFS has issued an IHA to Northeast
Gateway for conducting LNG Port
facility and Pipeline Lateral operations
and maintenance and repair activities in
Massachusetts Bay, provided the
previously mentioned mitigation,
monitoring, and reporting requirements
are incorporated.
Dated: December 23, 2014.
Donna S. Wieting,
Director, Office of Protected Resources,
National Marine Fisheries Service.
[FR Doc. 2014–30539 Filed 12–30–14; 8:45 am]
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
RIN 0648–XD644
Taking of Marine Mammals Incidental
to Specified Activities; Vashon Seismic
Retrofit Project
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Notice; proposed incidental
harassment authorization; request for
comments and information.
AGENCY:
NMFS has received a request
from the Washington State Department
of Transportation (WSDOT) Ferries
Division (WSF) for an authorization to
take small numbers of nine species of
marine mammals, by Level B
harassment, incidental to proposed
construction activities for Vashon
Seismic Retrofit Project in Vashon
Island, Washington State. Pursuant to
the Marine Mammal Protection Act
(MMPA), NMFS is requesting comments
on its proposal to issue an authorization
to WDOT to incidentally take, by
harassment, small numbers of marine
mammals for a period of 1 year.
DATES: Comments and information must
be received no later than January 30,
2015.
SUMMARY:
Comments on the
application should be addressed to Jolie
ADDRESSES:
E:\FR\FM\31DEN1.SGM
31DEN1
Agencies
[Federal Register Volume 79, Number 250 (Wednesday, December 31, 2014)]
[Notices]
[Pages 78806-78821]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2014-30539]
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
RIN 0648-XC228
Takes of Marine Mammals Incidental to Specified Activities;
Taking Marine Mammals Incidental to Operation, Maintenance, and Repair
of the Northeast Gateway Liquefied Natural Gas Port and the Algonquin
Pipeline Lateral Facilities in Massachusetts Bay
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Notice; issuance of an incidental take authorization.
-----------------------------------------------------------------------
SUMMARY: In accordance with the Marine Mammal Protection Act (MMPA)
regulations, notification is hereby given that NMFS has issued an
Incidental Harassment Authorization (IHA) to the Northeast
Gateway[supreg] Energy BridgeTM, L.P. (Northeast Gateway or
NEG) and Algonquin Gas Transmission, L.L.C. (Algonquin) to take, by
harassment, small numbers of 14 species of marine mammals incidental to
operating, maintaining, and repairing a liquefied natural gas (LNG)
port and the Algonquin Pipeline Lateral (Pipeline Lateral) facilities
by NEG and Algonquin, in Massachusetts Bay, between December 22, 2014,
through December 21, 2015.
DATES: Effective December 22, 2014, through December 21, 2015.
ADDRESSES: A copy of the original and revised application containing a
list of the references used in this document, The Maritime
Administration (MARAD), U.S. Coast Guard (USCG) Final Environmental
Impact Statement (Final EIS) on the Northeast Gateway Energy Bridge LNG
Deepwater Port license application, and other related documents are
available for viewing at https://www.nmfs.noaa.gov/pr/permits/incidental.htm#applications.
FOR FURTHER INFORMATION CONTACT: Shane Guan, Office of Protected
Resources, NMFS, (301) 427-8401.
Background
Sections 101(a)(5)(A)(D) of the MMPA (16 U.S.C. 1361 et seq.)
direct the Secretary of Commerce (Secretary) to allow, upon request,
the incidental, but not intentional taking of marine mammals by U.S.
citizens who engage in a specified activity (other than commercial
fishing) within a specified geographical region if certain findings are
made and regulations are issued or, if the taking is limited to
harassment, a notice of a proposed authorization is provided to the
public for review.
An authorization for incidental takings shall be granted if NMFS
finds that the taking will have a negligible impact on the species or
stock(s), will not have an unmitigable adverse impact on the
availability of the species or stock(s) for subsistence uses (where
relevant), and if the permissible methods of taking and requirements
pertaining to the mitigation, monitoring and reporting of such takings
are set forth. NMFS has defined ``negligible impact'' in 50 CFR 216.103
as ``an impact resulting from the specified activity that cannot be
reasonably expected to, and is not reasonably likely to, adversely
affect the species or stock through effects on annual rates of
recruitment or survival.''
Section 101(a)(5)(D) of the MMPA established an expedited process
by which citizens of the U.S. can apply for a one-year authorization to
incidentally take small numbers of marine mammals by harassment,
provided that there is no potential for serious injury or mortality to
result from the activity. Section 101(a)(5)(D) establishes a 45-day
time limit for NMFS review of an application followed by a 30-day
public notice and comment period on any proposed authorizations for the
incidental harassment of marine mammals. Within 45 days of the close of
the comment period, NMFS must either issue or deny the authorization.
Summary of Request
On January 18, 2013, NMFS received an application from Excelerate
and Tetra Tech, on behalf of Northeast Gateway and Algonquin, for an
authorization to take 14 species of marine mammals by Level B
harassment incidental to operations, maintenance, and repair of an LNG
port and the Pipeline Lateral facilities in Massachusetts Bay. They
are: North Atlantic right whale, humpback whale, fin whale, sei whale,
minke whale, long-finned pilot whale, Atlantic white-sided dolphin,
bottlenose dolphin, short-beaked common dolphin, killer whale, Risso's
dolphin, harbor porpoise, harbor
[[Page 78807]]
seal, and gray seal. Since LNG Port and Pipeline Lateral operation,
maintenance, and repair activities have the potential to take marine
mammals, a marine mammal take authorization under the MMPA is
warranted.
In response to the IHA application, NMFS published a Federal
Register notice for the proposed IHA on November 18, 2013 (78 FR
69049), which included proposed mitigation and monitoring measures to
minimize and monitor potential impacts to marine mammals that could
result from the proposed LNG Port and Pipeline Lateral operation,
maintenance, and repair activities. After the close of the public
comment period, Northeast Gateway notified NMFS that it does not intend
to use marine autonomous recording units (MARUs) for long-term passive
acoustic monitoring (PAM), as was described in the November 18, 2013,
proposed IHA Federal Register notice, the IHA application, and marine
mammal monitoring plan, except under certain levels of LNG port
activity, and requested NMFS to modify the monitoring measures in the
proposed IHA to use alternative acoustic monitoring, with triggers for
additional long-term monitoring during higher levels of LNG port
activity (which would require reinstallation of MARUs).
Following discussions with NMFS' Office of Protected Resources, the
NMFS Greater Atlantic Regional Fisheries Office (GARFO), and National
Ocean Service's Stellwagen Bank National Marine Sanctuary, on June 20,
2014, Excelerate and Tetra Tech submitted a revised IHA application
with tiered PAM measures corresponding to different levels of LNG Port
and Pipeline Lateral operation, maintenance, and repair activities. On
October 6, 2014, NMFS published a Federal Register notice (79 FR 60142)
for the revised proposed IHA that include updated PAM. No changes was
made for the proposed updated PAM as described in the revised proposed
IHA. Please refer to Federal Register notices for the proposed IHA (78
FR 69049; November 18, 2013) and the revised proposed IHA (79 FR 60142;
October 6, 2014) for a detailed description of the project activities
and the updated PAM.
Comments and Responses
A notice of NMFS' proposal to issue an IHA to Northeast Gateway and
Algonquin was published in the Federal Register notice on November 18,
2013 (78 FR 69049), and was revised in a second Federal Register notice
on October 6, 2014 (79 FR 60142). These notices described, in detail,
Northeast Gateway and Algonquin's activities, the marine mammal species
that may be affected by the activity, the anticipated effects on marine
mammals, and the proposed monitoring, mitigation, and reporting
measures.
During the 30-day public comment period for the Federal Register
notice published on November 18, 2013, NMFS received two comment
letters: one from the Marine Mammal Commission (Commission) and one
from the Whale and Dolphin Conservation (WDC) and the Humane Society of
the United States (HSUS). During the 30-day public comment period for
the Federal Register notice published on October 6, 2014, NMFS received
only one comment letter from the Commission. In that comment letter,
the Commission states that it believes that the revised acoustic
monitoring measures are justified and, in combination with other
previously proposed mitigation and monitoring measures, are sufficient
to ensure that NMFS' previous findings and determinations are still
valid. All relevant comments are addressed here.
Comment 1: The Commission recommends that NMFS issue the requested
authorization, subject to inclusion of the proposed mitigation and
monitoring measures.
Response: NMFS concurs with the Commission's recommendation and has
included the mitigation and monitoring measures contained in the
proposed authorization in the issued IHA.
Comment 2: Citing Mussoline et al. (2012), the WDC and HSUS state
that North Atlantic right whales are detected within Massachusetts Bay
year round, and therefore NEG's maintenance and repair activities
between May 1 and November 30 would have ``direct impact'' to North
Atlantic right whales. In addition, the WDC and HSUS point out that
other endangered whale species can also be found in Massachusetts Bay
during this time span but they are not mentioned in the IHA
application. WDC and HSUS thus conclude that since no lethal take can
be authorized, any takes would violate both the MMPA and the Endangered
Species Act (ESA).
Response: NMFS does not agree with the WDC and HSUS' assessment on
the potential impacts of whales in Massachusetts Bay and their
conclusion in regards to lethal takes.
First, Mussoline et al. (2012) used marine autonomous recording
units (MARUs) deployed throughout the Stellwagen Bank National Marine
Sanctuary (SBNMS, Massachusetts Bay) from January 2006 to February 2007
to study the presence and absence of the North Atlantic right whales in
the area by detection of the whale's up-calls. The results showed that
although up-calls were detected year round, except during July and
August, in the SBNMS area, calling rates were highest from January
through May, peaking in April (Mussoline et al. 2012, Figure 2),
suggesting seasonal variation. These seasonal variations in
distribution of the North Atlantic right whale in the project vicinity
were taken into consideration when analyzing potential human impacts
from the proposed NEG and Algonquin LNG Port operations and maintenance
and repair activities and fashioning mitigation such as the window for
planned maintenance and repair.
Second, with regard to the issue of lethal take, it is stated
clearly in the Federal Register notices for the proposed IHA that no
mortality or injury of marine mammals from the proposed LNG Port/
Pipeline operations and maintenance and repair activities (with
mitigation and monitoring) is expected and none are authorized.
Potential adverse effects to marine mammals, including endangered
whales that might occur in the proposed LNG Port action area, were
assessed and provided in the Federal Register notice for the proposed
IHA, as well as the associated EIS. Finally, in preparation for the
issuance of the IHA, NMFS Office of Protected Resources conducted a
section 7 consultation under the ESA with the NMFS Greater Atlantic
Region Fisheries Office. A Biological Opinion was issued on November
21, 2014, concluding that the proposed action is not likely to
jeopardize the continued existence of endangered marine mammal and
other species, with no mortality anticipated.
Comment 3: Citing potential vessel collision of the endangered
North Atlantic right whales, WDC and HSUS recommend limiting the Energy
Bridge Regasification Vessel (EBRV) speeds to 10 knots as right whales
have been sighted throughout Massachusetts and Cape Cod Bays at all
times of the year. The WDC and HSUS further state that monitoring
measures are not effective because not all whales in an area will be
seen or heard, and detection can only provide a record of where whales
have been recently seen.
Response: NMFS is aware of the potential threats of vessel
collision to the North Atlantic right whale from all transiting cargo
ships, not just EBRVs, in the area. Therefore, a series of temporal and
spatial vessel speed related measures are required for the LNG Port/
Pipeline operations and maintenance and repair activities in the
Massachusetts Bay. These measures are the results of careful analyses
and
[[Page 78808]]
assessment on the seasonal and spatial distribution of the right whale,
and the balance between species conservation and practicability.
Although right whales are sighted in Massachusetts and Cape Cod Bays
throughout the year, their presence in the summer months is extremely
rare, and NMFS does not believe reducing vessel speeds from 12 knots to
10 knots would provide any additional conservation benefits to the
species because vessels will have protected species observers on board.
However, mitigation measures require that once a whale is acoustically
detected, the vessel must slow down to 10 knots or less within 5 miles
(8 km) of the last sighting area, which provides for a fairly large
buffer to avoid any potential collision with North Atlantic right
whales. We determined that this measure was protective and would reduce
the likelihood of collision further.
Comment 4: Citing the NEG IHA application that maintenance and
repair activities will result in ``increased levels of turbidity which
can interfere with the ability of whales to forage effectively by
obscuring visual detection of or dispersing potential prey,'' WDC and
HSUS state that the proposed LNG Port maintenance and repair activities
may result in reduced fitness of marine mammal species.
Response: NMFS disagrees with the cited statement in the IHA
application, as well as the conclusion from WDC and HSUS based on the
incorrect statement. NMFS is aware that turbidity is a potential effect
from Algonquin Pipeline Lateral maintenance and repair activities.
However, the area that may be affected by these activities is expected
to be of very small scale, on the order of tens of meters. Because the
disturbance would occur on such a small scale relative to the size of
Massachusetts Bay and available foraging area, we determined that the
maintenance and repair activities would not appreciably affect the
visual detection of prey by marine mammals. In addition, the turbidity
by soil disturbance from the proposed maintenance and repair activities
is expected to be brief in duration. Suspended sediments from the ocean
bottom are expected to resettle within hours after any disturbance.
Comment 5: The WDC and HSUS are concerned about the dramatic
increase in water withdrawal that has been requested. The WDC and HSUS
states that these withdrawals would increase from 2.6 billion gallons
of sea water per year to 11 billion gallons per year. The WDC and HSUS
question the assessment performed by the applicant on abundance of
planktonic species due to their patchy distribution (citing Baumgartner
et al. 2003). Further, without providing any scientific evidence, the
WDC and HSUS state that an increase of 400% or more in water uptake is
bound to have significant effects on localized plankton aggregations.
Response: NMFS does not agree with WDC and HSUS' statement that the
increase of water intake would have significant effects on localized
plankton aggregations. The Federal Register notice for the proposed IHA
provided detailed analyses on the extra water intake by the proposed
LNG Port operations and maintenance and repair activities. Under the
requested water-use scenario, Tech Tech (2011) conducted an
environmental impact assessment (EIA) titled ``Environmental
Assessment: Northeast Gateway Deepwater Port'' on the potential impacts
to marine mammals and their prey. To evaluate impacts to phytoplankton
under the increased water usage, the biomass of phytoplankton lost from
the Massachusetts Bay ecosystem was estimated based on the same method
presented in the final Environmental Impact Statement/Environmental
Impact Report (EIS/EIR). Phytoplankton densities of 65,000 to 390,000
cells/gallon were multiplied by the annual planned activities
withdrawal rate of 11 billion gallons to estimate a loss of 7.15 x
10\14\ to 4.29 x 10\15\ cells per year. Assuming a dry-weight biomass
of 10-10 to 10-11 gram per cell (g/cell), an
estimated 7.2 kg to 429 kg of biomass would be lost annually from
Massachusetts Bay under the proposed activity, up to approximately 4.2
times greater than that estimated in the EIS/EIR for the permitted
operational scenario. An order of magnitude estimate of the effect of
this annual biomass loss on the regional food web can be calculated
assuming a 10 percent transfer of biomass from one trophic level to the
next (Sumich 1988) following the method used in the final EIS/EIR. This
suggests that the loss of 7.2 kg to 429 kg of phytoplankton will result
in the loss of about 0.7 kg to 42.9 kg of zooplankton, less than 0.1 kg
to 4.3 kg of small planktivorous fish, and up to 0.4 kg of large
piscivorous fish (approximately equivalent to a single 1-pound striped
bass). Relative to the biomass of these trophic levels in the project
area, this biomass loss is minor and consistent with the findings in
the final EIS/EIR. NMFS' analysis relied on the analysis in the EIA for
its own analysis, and the comment does not provide support for a
contradictory conclusion.
In addition, the density of zooplankton determined by the sampling
conducted by the Massachusetts Water Resource Authority (MWRA) to
characterize the area is approximately of 34.9 x 10\3\ organisms per
m\3\. Applying this density, the water withdrawal volume under the
proposed activity would result in the entrainment of 2.2 x 10\10\
zooplankton individuals per trip or 1.5 x 10\12\ individuals per year.
Assuming an average biomass of 0.63 x 10-6 g per individual,
this would result in the loss of 14.1 kg of zooplankton per shipment or
916.5 kg of zooplankton per year for 65 shipments. As discussed for
phytoplankton, biomass transfers from one trophic level to the next at
a rate of about 10 percent. Therefore, this entrainment of zooplankton
would result in loss of about 91.6 kg of planktivorous fish and 9.2 kg
of large piscivorous fish (approximately equivalent to two 9-pound
striped bass). These losses are minor relative to the total biomass of
these trophic levels in Massachusetts Bay.
Finally, ichthyoplankton (fish eggs and larvae) losses and
equivalent age one juvenile fish estimates under the proposed activity
were made based on actual monthly ichthyoplankton data collected in the
port area from October 2005 through December 2009 and the proposed
activity withdrawal volume of 11 billion gallons per year evenly
distributed among months (0.92 billion gallons per month) as a worst-
case scenario, representing the maximum number of Port deliveries
during any given month. Similarly, the lower, upper, and mean annual
entrainment estimates are based on the lower and upper 95 percent
confidence limits, of the monthly mean ichthyoplankton densities, and
the monthly mean estimates multiplied by the monthly withdrawal rate of
0.92 billion gallons per month. At this withdrawal rate, approximately
106 million eggs and 67 million larvae are estimated to be lost.
Nevertheless, the demand for natural gas and corresponding Port
activities will likely be greatest during the winter heating season
(November through March) when impacts from entrainment will likely be
lower.
These estimated losses are not significant given the very high
natural mortality of ichthyoplankton. This comparison was done in the
final EIS/EIR where ichthyoplankton losses based on historic regional
ichthyoplankton densities and a withdrawal rate of approximately 2.6
billion gallons per year were represented by the equivalent
[[Page 78809]]
number of age one fish. Under the final EIS/EIR withdrawal scenario,
equivalent age one losses due to entrainment ranged from 1 haddock to
43,431 sand lance (Tetra Tech 2010). Equivalent age one losses when no
NEG Port operations occurred were recalculated using Northeast Gateway
monitoring data in order to facilitate comparisons between the
permitted scenario and no action scenario. Using Northeast Gateway
monitoring data, withdrawal of 2.6 billion gallons per year would
result in equivalent age one losses ranging from less than 1 haddock to
5,602 American sand lance. By comparison, equivalent age one losses
under the proposed activity withdrawal rate of 11 billion gallons per
year ranged from less than 1 haddock to 23,701 sand lance and were
generally similar to or less than those in the final EIS/EIR.
Although no reliable annual food consumption rates of baleen whales
are available for comparison, based on the calculated quantities of
phytoplankton, zooplankton, and ichthyoplankton removal analyzed above,
we believe it is reasonable to conclude that baleen whale predation
rates would dwarf any reasonable estimates of prey removals by NEG Port
operations.
In conducting this analysis, NMFS is aware of the prey patchiness
in the natural environment. However, for a large scale and long-term
environmental assessment, random and uniform plankton distribution is a
valid assumption to make. Therefore, NMFS determined that the prey
removals by NEG Port operations resulting from water usage will have
inconsequential impacts on plankton aggregation.
Comment 6: The WDC and HSUS are concerned about the increased
discharge of warm water during off-loading. The WDC and HSUS state that
there are likely to be adverse impacts to zooplankton in the area and,
consequently, the forage base for several endangered whale species. The
WDC and HSUS further state that in particular, this warmer water could
affect right whale prey distribution and prey availability, as their
primary prey, Calanus finmarchicus, tends to be concentrated in
discrete thermal layers (Baumgartner and Mate, 2005). In addition, WDC
and HSUS point out that research by Keller et al. (2002) has indicated
that presence or absence of right whales was dependent on water
temperature differences of as little as 2 [deg]C.
Response: NMFS is aware of the increased discharge of warm water
during NEG LNG Port operation off-loading process. In 2011, NMFS
requested that NEG conduct an analysis of its warm water discharge from
the cooling systems. The analysis used a refined software system,
CORnell MIxing Zone Expert System (CORMIX), to estimate behavior of the
thermal plumes (Dill and Hamilton 2011).
Initial data indicate the actual temperature difference ([Delta]T)
associated with the discharge water can approach 12 [deg]C, which is
greater than originally anticipated (2.6 [deg]C). Using the newer
version of the modeling software (CORMIX 6.0-GT) to simulate the
originally estimated discharge characteristics as a point of
comparison, and to simulate a range of conditions, including variable
plume discharge [Delta]T levels from the main condenser cooling system
of 4 to 12 [deg]C, and variable receiving water conditions in winter
and summer, the results showed the following:
Summer conditions: Results showed for summer (when the
water column in Massachusetts Bay is stratified) that the plume
generally is expected to surface when [Delta]T is 6 [deg]C or
greater. The plume is unstable in the near-field, and may surface
immediately adjacent to the hull. Lower temperature differences
(e.g., [Delta]T of 4 [deg]C) can mix at depth within the cooler
lower layer of Massachusetts Bay. The distance at which a [Delta]T
of 0.8 [deg]C is achieved ranges from 13 to 65 m from the ship. At
500 m from the ship, the surface [Delta]T is 0.34 [deg]C or less.
Winter conditions: Results showed for winter (when the
water column is well-mixed) that the plume surfaces within 37 m
(discharge [Delta]T of 12 [deg]C) to 78 m (discharge [Delta]T of 4
[deg]C) from the ship. The distance at which [Delta]T of 0.8 [deg]C
is achieved ranges from 19 to 37 m from the ship, which is a
submerged position within the plume. Maximum surface [Delta]T is
less than 1 [deg]C. At 500 m from the ship, the surface [Delta]T is
0.31 [deg]C or less.
In summary, the temperature difference is expected to drop to non-
significant over the distance of tens of meters from the vessel.
Therefore, NMFS determined that the warm water discharge from the LNG
Port operations is expected to have no effects on the marine
environment, zooplankton in the area, and marine mammal prey
distribution.
Comment 7: The WDC and HSUS state that the applicant does not
appear concerned that underwater sound resulting from maintenance and
operation of the port is likely to result in harassment to marine
mammals, except noise from a DP dive vessel. The WDC and HSUS further
states that sound propagation calculations the applicant performed were
based on outdated data that may no longer be applicable, as
environmental factors such as seabed composition are likely to have
changed in the past twenty years, and the applicant acknowledges that
the maximum radius of the Zone of Influence (ZOI) is inherently
variable.
Response: NMFS does not agree. The initial Federal Register notice
(FR 69049; November 18, 2013) for the proposed IHA described noise from
the proposed maintenance and repair activities, and the analysis
discussed more than just sound from a DP dive vessel, including models
used to assess vessel noises such as turning screws, engine noise,
noise of operating machinery, and thruster use. In addition, to confirm
these modeled results and better understand the noise footprint
associated with the initial construction activities at the LNG Port,
field measurements were taken of various construction activities during
the 2007 NEG Port and Algonquin Pipeline Lateral Construction period.
Measurements were taken to establish the ``loudest'' potential
construction measurement event. The location at the LNG Port was used
to determine site-specific distances to the 120/180 dB re 1 [micro]Pa
isopleths for NEG Port maintenance and repair activities.
As described for NEG Port operations, sound propagation
calculations were performed to determine the noise footprint of the
construction activity. The calculations took into consideration aspects
of water depth, sea state, bathymetry, and seabed composition, and
specifically evaluated sound energy in the range that encompasses the
auditory frequencies of marine mammals and sound propagation beyond the
immediate vicinity of the source. These results were then summed across
frequencies to provide the broadband received levels at receptor
locations. The resulting distance to the 120 dB isopleth (180 dB re 1
[micro]Pa does not exist) was estimated to determine the maximum
distance at which Level B harassment may occur.
NMFS used the most recent and best data available regarding sound
measurements from the Port, which were collected during maintenance and
repair activities in 2009. We note, however, that this IHA requires the
applicant to conduct passive acoustic monitoring (PAM) for the noise
environment in Massachusetts Bay during operations and maintenance and
repair activities. The acoustic data collected by the PAM will measure
and document the sound ``budget'' of Massachusetts Bay so as to
eventually assist in determining whether or not an overall increase in
noise in the Bay associated with the Project might be having a
potentially negative impact on marine mammals. These acoustic data will
provide additional new insight on the noise levels from NEG's proposed
[[Page 78810]]
LNG Port operations and maintenance and repair activities.
Comment 8: The WDC and HSUS state that the applicant does not take
into account the fact that GDF SUEZ-Neptune LNG is also operating in
Massachusetts Bay, and because the ports are ``very similar in their
potential need and type or maintenance and repair'', the cumulative
impacts of noise from both ports should be considered but have not been
discussed by the applicant.
Response: The potential cumulative impacts from the nearby Neptune
LNG Port were analyzed in the EIS/EIR for the NEG LNG project. However,
on July 5, 2013, the Maritime Administration granted the request of
Neptune LNG to suspend operations of their LNG Port facility for a
period of 5 years, which began on June 26, 2013. Therefore, Neptune LNG
will not be conducting any operations until at least June 26, 2018.
Comment 9: The WDC and HSUS are concerned by the estimated number
of takes of marine mammals, particularly the North Atlantic right
whale. The applicant estimates takes for this species as high as 29 per
year due to port operations and maintenance and repair activities of
the NEG Port and the Algonquin Pipeline Lateral.
Response: As analyzed and discussed in detail in the Federal
Register notices for the proposed IHA, the estimated take of up to 29
North Atlantic right whale by Level B behavioral harassment represent
6.59% of the population. Since it is likely that individual animals
could be ``taken'' by harassment multiple times, the percentage is the
upper boundary of the numbers of animals in the population that could
be affected. The Level B behavioral harassment of these animals is
expected to consist of brief exposure of anthropogenic underwater noise
levels above 120 dB re 1 [micro]Pa, and animals exposed to that level
may exhibit brief alert or avoidance activities during the exposure. In
addition, no mortality or injury is expected to occur, and due to the
nature, degree, and context of the Level B harassment anticipated, the
activity is not expected to impact rates of recruitment or survival.
Comment 10: The WDC and HSUS point out an inconsistency in the IHA
application regarding historical marine mammal take numbers. The WDC
and HSUS state that in the IHA application, the applicant stated that
``to date, based on both ERBV vessel observations and MARU data, no
take by harassment has been recorded during NEG Port operations,''
while later in the application it stated that ``[t]o date, these
mitigation and monitoring activities have successfully safeguarded
marine mammals and sea turtles, resulting in a total of only 1 take by
acoustic harassment over the past 3 years of operation.''
Response: NMFS contacted NEG for clarification of these two
statements. After review of the original marine mammal monitoring
records, NEG's contractor Tetra Tech states that the only observed take
of a marine mammal was on February 5, 2009, when an unidentified small
marine mammal (either a seal or a dolphin) was briefly spotted within
the 120 dB re 1 [micro]Pa zone of influence at a distance between 1 and
1.2 miles from the EBRV Explorer while DP thrusters were engaged.
Description of Marine Mammals in the Area of the Specified Activities
The Federal Register notice (78 FR 69049; November 18, 2013) for
the proposed IHA and Northeast Gateway's IHA application identified 14
marine mammal species under NMFS jurisdiction likely to occur in the
construction area:
North Atlantic right whale (Eubalaena glacialis),
humpback whale (Megaptera novaeangliae),
fin whale (Balaenoptera physalus),
minke whale (B. acutorostrata),
long-finned pilot whale (Globicephala melas),
Atlantic white-sided dolphin (Lagenorhynchus acutus),
bottlenose dolphin (Tursiops truncatus),
common dolphin (Delphinus delphis),
killer whale (Orcinus orca),
Risso's dolphin (Grampus griseus),
harbor porpoise (Phocoena phocoena),
harbor seal (Phoca vitulina), and
gray seal (Halichoerus grypus).
Information on those species that may be affected by this activity
is discussed in detail in the USCG Final EIS on the Northeast Gateway
LNG proposal. Please refer to that document for more information on
these species and potential impacts from operation of this LNG
facility. In addition, general information on these marine mammal
species can also be found in W[uuml]rsig et al. (2000) and in the NMFS
Stock Assessment Reports (Waring et al., 2014). This latter document is
available at: https://www.nmfs.noaa.gov/pr/sars/pdf/ao2013_tm228.pdf.
That information has not changed and is therefore not repeated here.
Potential Effects of the Specified Activity on Marine Mammals
The proposed NEG LNG port/pipeline operations and maintenance and
repair activities could affect marine mammal species and stocks by
exposing them to elevated noise levels in the vicinity of the activity
area. As described in detail in the Federal Register notice of proposed
IHA (78 FR 69049, November 18, 2013), potential impacts from port
operations and maintenance and repair activities could result in
behavioral disturbances, masking, habituation, and although highly
unlikely temporary hearing threshold shift. That information has not
changed and is therefore not repeated here.
Northeast Gateway contracted with Tetra Tech EC, Inc. (Tetra Tech)
to perform field investigations to document various underwater noise
levels emitted during the construction of the NEG Port and Algonquin
Pipeline Lateral and during the operation of NEG Port facilities
(namely the operation of EBRVs). Tetra Tech conducted five offshore
hydroacoustic field programs: One in 2005 and one in 2006 at the Gulf
Gateway Deepwater Port located approximately 116 miles off the coast of
Louisiana in the Gulf of Mexico; and three in 2007 at the NEG Port and
Algonquin Pipeline Lateral Project area. The 2005 measurements were
completed to determine underwater noise levels during EBRV onboard
regasification and vessel movements. The data from the 2005 field
program was used to support the modeling and analysis of potential
acoustic effects of EBRV operations in Massachusetts Bay during the NEG
Port permitting and licensing process. The data collected in 2006 was
also associated with EBRV operation activities and were collected for
the purpose of verifying the measurement completed in 2005 as well as
to further document sound levels during additional operational and EBRV
activities such as EBRV coupling and decoupling from the buoy system,
transit and the use of stern and bow thrusters required for dynamic
positioning. The 2007 measurements were collected during NEG Port and
Algonquin Pipeline Lateral construction to obtain site-specific
underwater sound-level data associated with various construction
activities that were previously modeled in support of permitting and
licensing. These data are used here to analyze potential noise impacts
to marine mammals and to provide the basis for take calculation before
new measurements are made on-site (see Monitoring Measures section
below).
A detailed report describing both the 2006 and 2007 operation and
construction noise measurement events and associated results have been
included as Appendix B of the IHA application. The Federal Register
notice of proposed IHA provided a complete description of NEG port
operations,
[[Page 78811]]
NEG port maintenance and repair, and Algonquin pipeline lateral
operations and maintenance and unplanned repair, the activities that
could result in Level B harassment from the described activities.
Potential Effects on Marine Mammal Habitat
NEG Port Operations
Operation of the NEG Port will not result in short-term effects on
habitat; however, long-term effects on the marine environment,
including alteration of the seafloor conditions, continued disturbance
of the seafloor, regular withdrawal of sea water, and regular
generation of underwater noise, will result from Port operations.
Specifically, a small area (0.14 acre) along the Pipeline Lateral has
been permanently altered (armored) at two cable crossings. In addition,
the structures associated with the NEG Port (flowlines, mooring wire
rope and chain, suction anchors, and pipeline end manifolds) occupy 4.8
acres of seafloor. An additional area of the seafloor of up to 43 acres
(a worst case scenario based on severe 100-year storm with EBRVs
occupying both STL buoys) will be subject to disturbance due to chain
sweep while the buoys are occupied. Given the relatively small size of
the NEG Port area that will be directly affected by Port operations,
NMFS does not anticipate that habitat loss will be significant.
EBRVs are currently authorized to withdraw an average of 4.97
million gallons per day (mgd) and 2.6 billion gallons per year of sea
water for general ship operations during it cargo delivery activities
at the NEG Port. However, during the operations of the NEG Port
facility, it was revealed that significantly more water usage is needed
from what was originally evaluated in the final USCG Environmental
Impact Statement/Environmental Impact Report (EIS/EIR). The updates for
the needed water intake and discharge temperature are:
11 billion gallons of total annual water use at the
Port;
Maximum daily intake volume of up to 56 mgd at a rate
of 0.45 feet per second when an EBRV is not able to achieve the heat
recovery system (HRS: It is the capability of reducing water use
during the regasification process) mode of operation; and,
Maximum daily change in discharge temperature of 12
[deg]C (21.6 [deg]F) from ambient from the vessel's main condenser
cooling system.
Under the requested water-use scenario, Tech Tech (2011) conducted
an environmental analysis on the potential impacts to marine mammals
and their prey. To evaluate impacts to phytoplankton under the
increased water usage, the biomass of phytoplankton lost from the
Massachusetts Bay ecosystem was estimated based on the method presented
in the final EIS/EIR. Phytoplankton densities of 65,000 to 390,000
cells/gallon were multiplied by the annual planned activities of
withdrawal rate of 11 billion gallons to estimate a loss of 7.15 x
10\14\ to 4.29 x 10\15\ cells per year. Assuming a dry-weight biomass
of 10-\10\ to 10-\11\ gram per cell (g/cell), an
estimated 7.2 kg to 429 kg of biomass would be lost from Massachusetts
Bay under the proposed activity, up to approximately 4.2 times that
estimated in the final EIS/EIR for the permitted operational scenario.
An order of magnitude estimate of the effect of this annual biomass
loss on the regional food web can be calculated assuming a 10 percent
transfer of biomass from one trophic level to the next (Sumich 1988)
following the method used in the final EIS/EIR. This suggests that the
loss of 7.2 kg to 429 kg of phytoplankton will result in the loss of
about 0.7 kg to 42.9 kg of zooplankton, less than 0.1 kg to 4.3 kg of
small planktivorous fish, and up to 0.4 kg of large piscivorous fish
(approximately equivalent to a single 1-pound striped bass). Relative
to the biomass of these trophic levels in the project area, this
biomass loss is minor and consistent with the findings in the final
EIS/EIR.
In addition, zooplankton losses will also increase proportionally
to the increase in water withdrawn. The final EIS/EIR used densities of
zooplankton determined by the sampling conducted by the Massachusetts
Water Resource Authority (MWRA) to characterize the area around its
offshore outfall and assumed a mean zooplankton density of 34.9 x 10\3\
organisms per m\3\. Applying this density, the water withdrawal volume
under the proposed activity would result in the entrainment of 2.2 x
10\10\ zooplankton individuals per trip or 1.5 x 10\12\ individuals per
year. Assuming an average biomass of 0.63 x 10-\6\ g per
individual, this would result in the loss of 14.1 kg of zooplankton per
shipment or 916.5 kg of zooplankton per year. As discussed for
phytoplankton, biomass transfers from one trophic level to the next at
a rate of about 10 percent. Therefore, this entrainment of zooplankton
would result in loss of about 91.6 kg of planktivorous fish and 9.2 kg
of large piscivorous fish (approximately equivalent to two 9-pound
striped bass). These losses are minor relative to the total biomass of
these trophic levels in Massachusetts Bay.
Finally, ichthyoplankton (fish eggs and larvae) losses and
equivalent age one juvenile fish estimates under the proposed activity
were made based on actual monthly ichthyoplankton data collected in the
port area from October 2005 through December 2009 and the proposed
activity withdrawal volume of 11 billion gallons per year evenly
distributed among months (0.92 billion gallons per month) as a worst-
case scenario, representing the maximum number of Port deliveries
during any given month. Similarly, the lower, upper, and mean annual
entrainment estimates are based on the lower and upper 95 percent
confidence limits, of the monthly mean ichthyoplankton densities, and
the monthly mean estimates multiplied by the monthly withdrawal rate of
0.92 billion gallons per month. At this withdrawal rate approximately
106 million eggs and 67 million larvae are estimated to be lost (see
Table 4.2-2 of the IHA application). The most abundant species and life
stages estimated to be entrained under the proposed activity are cunner
post yolk-sac larvae (33.3 million), yellowtail flounder/Labridae eggs
(27.4 million) and hake species eggs (18.7 million). Together, these
species and life stages accounted for approximately 46 percent of the
total entrainment estimated. Entrainment was estimated to be highest in
June through July when 97.4 million eggs and larvae (approximately 57
percent of the annual total) were estimated to be entrained.
Nevertheless, the demand for natural gas and corresponding Port
activities will likely be greatest during the winter heating season
(November through March), when impacts from entrainment will likely be
lower.
These estimated losses are not significant given the very high
natural mortality of ichthyoplankton. This comparison was done in the
final EIS/EIR where ichthyoplankton losses based on historic regional
ichthyoplankton densities and a withdrawal rate of approximately 2.6
billion gallons per year were represented by the equivalent number of
age one fish. Under the final EIS/EIR withdrawal scenario, equivalent
age one losses due to entrainment ranged from 1 haddock to 43,431 sand
lance (Tetra Tech 2010). Equivalent age one losses under the conditions
when no NEG Port operations occur were recalculated using Northeast
Gateway monitoring data in order to facilitate comparisons between the
permitted scenario. Using Northeast Gateway monitoring data, withdrawal
of 2.6 billion gallons per year would result in
[[Page 78812]]
equivalent age one losses ranging from less than 1 haddock to 5,602
American sand lance. By comparison, equivalent age one losses under the
proposed activity withdrawal rate of 11 billion gallons per year ranged
from less than 1 haddock to 23,701 sand lance and were generally
similar to or less than those in the final EIS/EIR. Substantially more
equivalent age one Atlantic herring, pollock, and butterfish were
estimated to be lost under the final EIS/EIR at a withdrawal rate of
2.6 billion gallons per year, while substantially more equivalent age
one Atlantic cod, silver hake and hake species, cunner, and Atlantic
mackerel are estimated to be lost under the proposed activity.
Although no reliable annual food consumption rates of baleen whales
are available for comparison, based on the calculated quantities of
phytoplankton, zooplankton, and ichthyoplankton removal analyzed above,
it is reasonable to conclude that baleen whale predation rates would
dwarf any reasonable estimates of prey removals by NEG Port operations.
Therefore, NMFS believes that the prey removals by NEG Port operations
resulting from water usage will have negligible impacts on marine
mammal habitat.
NEG Port Maintenance
As stated earlier, NEG LNG Port will require scheduled maintenance
inspections using either divers or ROVs. The duration of these
inspections are not anticipated to be more than two 8-hour working
days. An EBRV will not be required to support these annual inspections.
Water usage during the LNG Port maintenance would be limited to the
standard requirements of NEG's normal support vessel. As with all
vessels operating in Massachusetts Bay, sea water uptake and discharge
is required to support engine cooling, typically using a once-through
system. The rate of seawater uptake varies with the ship's horsepower
and activity and therefore will differ between vessels and activity
type. For example, the Gateway Endeavor is a 90-foot vessel powered
with a 1,200 horsepower diesel engine with a four-pump seawater cooling
system. This system requires seawater intake of about 68 gallons per
minute (gpm) while idling and up to about 150 gpm at full power. Use of
full power is required generally for transit. A conservatively high
estimate of vessel activity for the Gateway Endeavor would be operation
at idle for 75 percent of the time and full power for 25 percent of the
time. During the routine activities this would equate to approximately
42,480 gallons of seawater per 8-hour work day. When compared to the
engine cooling requirements of an EBRV over an 8-hour period
(approximately 18 million gallons), the Gateway Endeavour uses about
0.2 percent of the EBRV requirement. To put this water use into
context, potential effects from the waters-use scenario of 56 mgd have
been concluded to be orders of magnitude less than the natural
fluctuations of Massachusetts Bay and Cape Cod Bay and not detectable.
Water use by support vessels during routine port activities would not
materially add to the overall impacts.
Certain maintenance and repair activities may also require the
presence of an EBRV at the Port. Such instances may include maintenance
and repair on the STL Buoy, vessel commissioning, and any onboard
equipment malfunction or failure occurring while a vessel is present
for cargo delivery. Because the requested water-use scenario allows for
daily water use of up to 56 mgd to support standard EBRV requirements
when not operating in the HRS mode, vessels would be able to remain at
the Port as necessary to support all such maintenance and repair
scenarios. Therefore, NMFS considers that NEG Port maintenance and
repair would have negligible impacts to marine mammal habitat in the
proposed activity area.
Unanticipated Algonquin Pipeline Lateral Maintenance and Repair
Proper care and maintenance of the Algonquin Pipeline Lateral
should minimize the likelihood of an unanticipated maintenance and/or
repair event; however, unanticipated activities may occur from time to
time if facility components become damaged or malfunction.
Unanticipated repairs may range from relatively minor activities
requiring minimal equipment and one or two diver/ROV support vessels to
major activities requiring larger construction-type vessels similar to
those used to support the construction and installation of the
facility.
Major repair activities, although unlikely, may include repairing
or replacement of pipeline manifolds or sections of the Pipeline
Lateral. This type of work would likely require the use of large
specialty construction vessels such as those used during the
construction and installation of the NEG Port and Algonquin Pipeline
Lateral. The duration of a major unplanned activity would depend upon
the type of repair work involved and would require careful planning and
coordination.
Turbidity would likely be a potential effect of Algonquin Pipeline
Lateral maintenance and repair activities on listed species. In
addition, the possible removal of benthic or planktonic species,
resulting from relatively minor construction vessel water use
requirements, as measured in comparison to EBRV water use, is unlikely
to affect in a measurable way the food sources available to marine
mammals. Therefore, NMFS considers that Algonquin Pipeline Lateral
maintenance and repair would have negligible impacts to marine mammal
habitat in the proposed activity area.
Mitigation Measures
In order to issue an incidental take authorization under section
101(a)(5)(D) of the MMPA, NMFS must set forth the permissible methods
of taking pursuant to such activity, and other means of effecting the
least practicable adverse impact on such species or stock and its
habitat, paying particular attention to rookeries, mating grounds, and
areas of similar significance, and on the availability of such species
or stock for taking for certain subsistence uses.
NMFS is requiring the following mitigation measures to minimize the
potential impacts to marine mammals in the project vicinity as a result
of the LNG Port and Algonquin Pipeline Lateral operations and
maintenance and repair activities. The primary purpose of these
mitigation measures is to ensure that no marine mammal will be injured
or killed by vessels transiting the LNG Port facility, and to minimize
the intensity of noise exposure of marine mammals in the activity area.
(a) General Marine Mammal Avoidance Measures
(i) All vessels shall utilize the International Maritime
Organization (IMO)-approved Boston Traffic Separation Scheme (TSS) on
their approach to and departure from the NEG Port and/or the repair/
maintenance area at the earliest practicable point of transit in order
to avoid the risk of whale strikes.
(ii) Upon entering the TSS and areas where North Atlantic right
whales are known to occur, including the Great South Channel Seasonal
Management Area (GSC-SMA) and the SBNMS, the EBRV shall go into
``Heightened Awareness'' as described below.
(A) Prior to entering and navigating the modified TSS the Master of
the vessel shall:
(I) Consult Navigational Telex (NAVTEX), NOAA Weather Radio, the
NOAA Right Whale Sighting Advisory System (SAS) or other means to
obtain current right whale sighting information as well as the most
recent Cornell
[[Page 78813]]
acoustic monitoring buoy data for the potential presence of marine
mammals;
(II) Post a look-out to visually monitor for the presence of marine
mammals;
(III) Provide the US Coast Guard (USCG) required 96-hour
notification of an arriving EBRV to allow the NEG Port Manager to
notify Cornell of vessel arrival.
(B) The look-out shall concentrate his/her observation efforts
within the 2-mile radius zone of influence (ZOI) from the maneuvering
EBRV.
(C) If marine mammal detection was reported by NAVTEX, NOAA Weather
Radio, SAS and/or an acoustic monitoring buoy, the look-out shall
concentrate visual monitoring efforts towards the areas of the most
recent detection.
(D) If the look-out (or any other member of the crew) visually
detects a marine mammal within the 2-mile radius ZOI of a maneuvering
EBRV, he/she will take the following actions:
(I) The Officer-of-the-Watch shall be notified immediately; who
shall then relay the sighting information to the Master of the vessel
to ensure action(s) can be taken to avoid physical contact with marine
mammals.
(II) The sighting shall be recorded in the sighting log by the
designated look-out.
(iii) In accordance with 50 CFR 224.103(c), all vessels associated
with NEG Port and Pipeline Lateral activities shall not approach closer
than 500 yards (460 m) to a North Atlantic right whale and 100 yards
(91 m) to other whales to the extent physically feasible given
navigational constraints. In addition, when approaching and departing
the project area, vessels shall be operated so as to remain at least 1
km away from any visually-detected North Atlantic right whales.
(iv) In response to active right whale sightings and active
acoustic detections, and taking into account exceptional circumstances,
EBRVs, repair and maintenance vessels shall take appropriate actions to
minimize the risk of striking whales. Specifically vessels shall:
(A) Respond to active right whale sightings and/or Dynamic
Management Area (DMA) as described at 73 FR 60173, 60180 (October 10,
2008) reported on the Mandatory Ship Reporting (MSR) or SAS by
concentrating monitoring efforts towards the area of most recent
detection and reducing speed to 10 knots or less if the vessel is
within the boundaries of a DMA or within the circular area centered on
an area 8 nm in radius from a sighting location;
(B) Respond to active acoustic detections by concentrating
monitoring efforts towards the area of most recent detection and
reducing speed to 10 knots or less within an area 5 nm in radius
centered on the detecting AB; and
(C) Respond to additional sightings made by the designated look-
outs within a 2-mile radius of the vessel by slowing the vessel to 10
knots or less and concentrating monitoring efforts towards the area of
most recent sighting.
(v) All vessels operated under NEG and Algonquin must follow the
established specific speed restrictions when calling at the NEG Port.
The specific speed restrictions required for all vessels (i.e., EBRVs
and vessels associated with maintenance and repair) consist of the
following:
(A) Vessels shall reduce their maximum transit speed while in the
TSS from 12 knots or less to 10 knots or less from March 1 to April 30
in all waters bounded by straight lines connecting the following points
in the order stated below unless an emergency situation dictates for an
alternate speed. This area shall hereafter be referred to as the Off
Race Point Seasonal Management Area (ORP-SMA) and tracks NMFS
regulations at 50 CFR 224.105:
42[deg]30' N 70[deg]30' W
42[deg]30' N 69[deg]45' W
41[deg]40' N 69[deg]45' W
42[deg]04.8' N 70[deg]10' W
41[deg]40' N 69[deg]57' W
42[deg]12' N 70[deg]15' W
42[deg]12' N 70[deg]30' W
42[deg]30' N 70[deg]30' W
(B) Vessels shall reduce their maximum transit speed while in the
TSS to 10 knots or less unless an emergency situation dictates for an
alternate speed from April 1 to July 31 in all waters bounded by
straight lines connecting the following points in the order stated
below. This area shall hereafter be referred to as the GSC-SMA and
tracks NMFS regulations at 50 CFR 224.105:
42[deg]30' N 69[deg]45' W
42[deg]30' N 67[deg]27' W
42[deg]09' N 67[deg]08.4' W
41[deg]40' N 69[deg]45' W
42[deg]30' N 69[deg]45' W
41[deg]00' N 69[deg]05' W
(C) Vessels are not expected to transit the Cape Cod Bay or the
Cape Cod Canal; however, in the event that transit through the Cape Cod
Bay or the Cape Cod Canal is required, vessels shall reduce maximum
transit speed to 10 knots or less from January 1 to May 15 in all
waters in Cape Cod Bay, extending to all shorelines of Cape Cod Bay,
with a northern boundary of 42[deg]12' N latitude and the Cape Cod
Canal. This area shall hereafter be referred to as the Cape Cod Bay
Seasonal Management Area (CCB-SMA).
(D) All Vessels transiting to and from the project area shall
report their activities to the mandatory reporting Section of the USCG
to remain apprised of North Atlantic right whale movements within the
area. All vessels entering and exiting the MSRA shall report their
activities to WHALESNORTH. Vessel operators shall contact the USCG by
standard procedures promulgated through the Notice to Mariner system.
(E) All Vessels greater than or equal to 300 gross tons (GT) shall
maintain a speed of 10 knots or less, unless an emergency situation
requires speeds greater than 10 knots.
(F) All Vessels less than 300 GT traveling between the shore and
the project area that are not generally restricted to 10 knots will
contact the Mandatory Ship Reporting (MSR) system, the USCG, or the
project site before leaving shore for reports of active DMAs and/or
recent right whale sightings and, consistent with navigation safety,
restrict speeds to 10 knots or less within 5 miles (8 kilometers) of
any sighting location, when traveling in any of the seasonal management
areas (SMAs) or when traveling in any active DMA.
(b) NEG Port-Specific Operations
(i) In addition to the general marine mammal avoidance requirements
identified in (5)(a) above, vessels calling on the NEG Port must comply
with the following additional requirements:
(A) EBRVs shall travel at 10 knots maximum speed when transiting
to/from the TSS or to/from the NEG Port/Pipeline Lateral area. For
EBRVs, at 1.86 miles (3 km) from the NEG Port, speed will be reduced to
3 knots and to less than 1 knot at 1,640 ft (500 m) from the NEG buoys,
unless an emergency situation dictates the need for an alternate speed.
(B) EBRVs that are approaching or departing from the NEG Port and
are within the ATBA5 surrounding the NEG Port, shall remain at least 1
km away from any visually-detected North Atlantic right whale and at
least 100 yards (91 m) away from all other visually-detected whales
unless an emergency situation requires that the vessel stay its course.
During EBRV maneuvering, the Vessel Master shall designate at least one
look-out to be exclusively and continuously monitoring for the presence
of marine mammals at all times while the EBRV is
[[Page 78814]]
approaching or departing from the NEG Port.
(C) During NEG Port operations, in the event that a whale is
visually observed within 1 km of the NEG Port or a confirmed acoustic
detection is reported on either of the two ABs closest to the NEG Port
(western-most in the TSS array), departing EBRVs shall delay their
departure from the NEG Port, unless an emergency situation requires
that departure is not delayed. This departure delay shall continue
until either the observed whale has been visually (during daylight
hours) confirmed as more than 1 km from the NEG Port or 30 minutes have
passed without another confirmed detection either acoustically within
the acoustic detection range of the two ABs closest to the NEG Port, or
visually within 1 km from the NEG Port.
(ii) Vessel captains shall focus on reducing dynamic positioning
(DP) thruster power to the maximum extent practicable, taking into
account vessel and Port safety, during the operation activities. Vessel
captains will shut down thrusters whenever they are not needed.
(c) Planned and Unplanned Maintenance and Repair Activities
(i) NEG Port
(A) The Northeast Gateway shall conduct empirical source level
measurements on all noise emitting construction equipment and all
vessels that are involved in maintenance/repair work.
(B) If dynamic positioning (DP) systems are employed and/or
activities will emit noise with a source level of 139 dB re 1 [mu]Pa at
1 m or greater, activities shall be conducted in accordance with the
requirements for DP systems listed in (b)(ii) above.
(C) Northeast Gateway shall provide the NMFS Headquarters Office of
the Protected Resources, NMFS Northeast Region Ship Strike Coordinator,
and SBNMS with a minimum of 30 days notice prior to any planned repair
and/or maintenance activity. For any unplanned/emergency repair/
maintenance activity, Northeast Gateway shall notify the agencies as
soon as it determines that repair work must be conducted. Northeast
Gateway shall continue to keep the agencies apprised of repair work
plans as further details (e.g., the time, location, and nature of the
repair) become available. A final notification shall be provided to
agencies 72 hours prior to crews being deployed into the field.
(ii) Pipeline Lateral
(A) Pipeline maintenance/repair vessels less than 300 GT traveling
between the shore and the maintenance/repair area that are not
generally restricted to 10 knots shall contact the MSR system, the
USCG, or the project site before leaving shore for reports of active
DMAs and/or recent right whale sightings and, consistent with
navigation safety, restrict speeds to 10 knots or less within 5 miles
(8 km) of any sighting location, when travelling in any of the seasonal
management areas (SMAs) as defined above.
(B) Maintenance/repair vessels greater than 300 GT shall not exceed
10 knots, unless an emergency situation that requires speeds greater
than 10 knots.
(C) Planned maintenance and repair activities shall be restricted
to the period between May 1 and November 30.
(D) Unplanned/emergency maintenance and repair activities shall be
conducted utilizing anchor-moored dive vessel whenever operationally
possible.
(E) Algonquin shall also provide the NMFS Office of the Protected
Resources, NMFS Northeast Region Ship Strike Coordinator, and
Stellwagen Bank National Marine Sanctuary (SBNMS) with a minimum of 30-
day notice prior to any planned repair and/or maintenance activity. For
any unplanned/emergency repair/maintenance activity, Northeast Gateway
shall notify the agencies as soon as it determines that repair work
must be conducted. Algonquin shall continue to keep the agencies
apprised of repair work plans as further details (e.g., the time,
location, and nature of the repair) become available. A final
notification shall be provided to agencies 72 hours prior to crews
being deployed into the field.
(F) If dynamic positioning (DP) systems are to be employed and/or
activities will emit noise with a source level of 139 dB re 1 [mu]Pa at
1 m or greater, activities shall be conducted in accordance with the
requirements for DP systems listed in (b)(ii) above.
(G) In the event that a whale is visually observed within 0.5 mile
(0.8 kilometers) of a repair or maintenance vessel, the vessel
superintendent or on-deck supervisor shall be notified immediately. The
vessel's crew shall be put on a heightened state of alert and the
marine mammal shall be monitored constantly to determine if it is
moving toward the repair or maintenance area.
(H) Repair/maintenance vessel(s) must cease any movement and/or
cease all activities that emit noises with source level of 139 dB re 1
[mu]Pa @1 m or higher when a right whale is sighted within or
approaching at 500 yd (457 m) from the vessel. Repair and maintenance
work may resume after the marine mammal is positively reconfirmed
outside the established zones (500 yd [457 m]) or 30 minutes have
passed without a redetection. Any vessels transiting the maintenance
area, such as barges or tugs, must also maintain these separation
distances.
(I) Repair/maintenance vessel(s) must cease any movement and/or
cease all activities that emit noises with source level of 139 dB re 1
[mu]Pa @1 m or higher when a marine mammal other than a right whale is
sighted within or approaching at 100 yd (91 m) from the vessel. Repair
and maintenance work may resume after the marine mammal is positively
reconfirmed outside the established zones (100 yd [91 m]) or 30 minutes
have passed without a redetection. Any vessels transiting the
maintenance area, such as barges or tugs, must also maintain these
separation distances.
(J) Algonquin and associated contractors shall also comply with the
following:
(I) Operations involving equipment with sound source levels
exceeding 139 dB re 1[mu]Pa @1 m shall ``ramp-up'' sound sources,
allowing whales a chance to leave the area before sounds reach maximum
levels. In addition, Northeast Gateway, Algonquin, and other associated
contractors shall maintain equipment to manufacturers' specifications,
including any sound-muffling devices or engine covers in order to
minimize noise effects. Noisy construction equipment shall only be used
as needed and equipment shall be turned off when not in operation.
(II) Any material that has the potential to entangle marine mammals
(e.g., anchor lines, cables, rope or other construction debris) shall
only be deployed as needed and measures shall be taken to minimize the
chance of entanglement.
(III) For any material mentioned above that has the potential to
entangle marine mammals, such material shall be removed from the water
immediately unless such action jeopardizes the safety of the vessel and
crew as determined by the Captain of the vessel.
(IV) In the event that a marine mammal becomes entangled, the
marine mammal coordinator and/or PSO will notify NMFS (if outside the
SBNMS), and SBNMS staff (if inside the SBNMS) immediately so that a
rescue effort may be initiated.
(K) All maintenance/repair activities shall be scheduled to occur
between
[[Page 78815]]
May 1 and November 30; however, in the event of unplanned/emergency
repair work that cannot be scheduled during the preferred May through
November work window, the following additional measures shall be
followed for Pipeline Lateral maintenance and repair related activities
between December and April:
(I) Between December 1 and April 30, if on-board PSOs do not have
at least 0.5-mile visibility, they shall call for a shutdown. At the
time of shutdown, the use of thrusters must be minimized. If there are
potential safety problems due to the shutdown, the captain will decide
what operations can safely be shut down.
(II) Prior to leaving the dock to begin transit, the barge shall
contact one of the PSOs on watch to receive an update of sightings
within the visual observation area. If the PSO has observed a North
Atlantic right whale within 30 minutes of the transit start, the vessel
shall hold for 30 minutes and again get a clearance to leave from the
PSOs on board. PSOs shall assess whale activity and visual observation
ability at the time of the transit request to clear the barge for
release.
(III) Transit route, destination, sea conditions and any marine
mammal sightings/mitigation actions during watch shall be recorded in
the log book. Any whale sightings within 1,000 m of the vessel shall
result in a high alert and slow speed of 4 knots or less and a sighting
within 750 m shall result in idle speed and/or ceasing all movement.
(IV) The material barges and tugs used in repair and maintenance
shall transit from the operations dock to the work sites during
daylight hours when possible provided the safety of the vessels is not
compromised. Should transit at night be required, the maximum speed of
the tug shall be 5 knots.
(V) All repair vessels must maintain a speed of 10 knots or less
during daylight hours. All vessels shall operate at 5 knots or less at
all times within 5 km of the repair area.
(d) Acoustic Monitoring Related Activities
(i) Vessels associated with maintaining the AB network operating as
part of the mitigation/monitoring protocols shall adhere to the
following speed restrictions and marine mammal monitoring requirements.
(A) In accordance with 50 CFR 224.103 (c), all vessels associated
with NEG Port activities shall not approach closer than 500 yards (460
meters) to a North Atlantic right whale.
(B) All vessels shall obtain the latest DMA or right whale sighting
information via the NAVTEX, MSR, SAS, NOAA Weather Radio, or other
available means prior to operations to determine if there are right
whales present in the operational area.
(I) In the ORP-SMA between March 1 and April 30; and
(II) In the CCB-SMA between January 1 and May 15.
(C) All vessels shall obtain the latest DMA or right whale sighting
information via the NAVTEX, MSR, SAS, NOAA Weather Radio, or other
available means prior to operations to determine if there are right
whales present in the operational area.
Mitigation Conclusions
NMFS has carefully evaluated the mitigation measures in the context
of ensuring that NMFS prescribes the means of effecting the least
practicable impact on the affected marine mammal species and stocks and
their habitat. Our evaluation of potential measures included
consideration of the following factors in relation to one another:
The manner in which, and the degree to which, the
successful implementation of the measure is expected to minimize
adverse impacts to marine mammals;
The proven or likely efficacy of the specific measure
to minimize adverse impacts as planned; and
The practicability of the measure for applicant
implementation.
Based on our evaluation of mitigation measures, NMFS has determined
that the mitigation measures provide the means of effecting the least
practicable impact on marine mammal species or stocks and their
habitat, paying particular attention to rookeries, mating grounds, and
areas of similar significance.
Monitoring and Reporting Measures
In order to issue an ITA for an activity, section 101(a)(5)(D) of
the MMPA states that NMFS must set forth ``requirements pertaining to
the monitoring and reporting of such taking.'' The MMPA implementing
regulations at 50 CFR 216.104(a)(13) indicate that requests for ITAs
must include the suggested means of accomplishing the necessary
monitoring and reporting that will result in increased knowledge of the
species and of the level of taking or impacts on populations of marine
mammals that are expected to be present in the proposed action area.
Monitoring Measures
(a) Vessel-Based Visual Monitoring
(i) Vessel-based monitoring for marine mammals shall be done by
trained look-outs during NEG LNG Port and Pipeline Lateral operations
and maintenance and repair activities. The observers shall monitor the
occurrence of marine mammals near the vessels during LNG Port and
Pipeline Lateral related activities. Lookout duties include watching
for and identifying marine mammals; recording their numbers, distances,
and reactions to the activities; and documenting ``take by
harassment''.
(ii) The vessel look-outs assigned to visually monitor for the
presence of marine mammals shall be provided with the following:
(A) Recent NAVTEX, NOAA Weather Radio, SAS and/or acoustic
monitoring buoy detection data;
(B) Binoculars to support observations;
(C) Marine mammal detection guide sheets; and
(D) Sighting log.
(b) NEG LNG Port Operations
(i) All individuals onboard the EBRVs responsible for the
navigation duties and any other personnel that could be assigned to
monitor for marine mammals shall receive training on marine mammal
sighting/reporting and vessel strike avoidance measures.
(ii) While an EBRV is navigating within the designated TSS, there
shall be three people with look-out duties on or near the bridge of the
ship including the Master, the Officer-of-the-Watch and the Helmsman-
on-watch. In addition to the standard watch procedures, while the EBRV
is transiting within the designated TSS, maneuvering within the Area to
be Avoided (ATBA), and/or while actively engaging in the use of
thrusters, an additional look-out shall be designated to exclusively
and continuously monitor for marine mammals.
(iii) All sightings of marine mammals by the designated look-out,
individuals posted to navigational look-out duties and/or any other
crew member while the EBRV is transiting within the TSS, maneuvering
within the ATBA and/or when actively engaging in the use of thrusters,
shall be immediately reported to the Officer-of-the-Watch who shall
then alert the Master. The Master or Officer-of-the-Watch shall ensure
the required reporting procedures are followed and the designated
marine mammal look-out records all pertinent information relevant to
the sighting.
(iv) Visual sightings made by look-outs from the EBRVs shall be
recorded
[[Page 78816]]
using a standard sighting log form. Estimated locations shall be
reported for each individual and/or group of individuals categorized by
species when known. This data shall be entered into a database and a
summary of monthly sighting activity shall be provided to NMFS.
Estimates of take and copies of these log sheets shall also be included
in the reports to NMFS.
(c) Planned and Unplanned Maintenance and Repair
(i) Two (2) qualified and NMFS-approved protected species observers
(PSOs) shall be assigned to each vessel that will use dynamic
positioning (DP) systems during maintenance and repair related
activities. PSOs shall operate individually in designated shifts to
accommodate adequate rest schedules. Additional PSOs shall be assigned
to additional vessels if auto-detection buoy (AB) data indicates that
sound levels exceed 120 dB re 1 [micro]Pa, further then 100 meters (328
feet) from these vessels.
(ii) All PSOs shall receive NMFS-approved marine mammal observer
training and be approved in advance by NMFS after review of their
resume. All PSOs shall have direct field experience on marine mammal
vessels and/or aerial surveys in the Atlantic Ocean/Gulf of Mexico.
(iii) PSOs (one primary and one secondary) shall be responsible for
visually locating marine mammals at the ocean's surface and, to the
extent possible, identifying the species. The primary PSO shall act as
the identification specialist and the secondary PSO will serve as data
recorder and also assist with identification. Both PSOs shall have
responsibility for monitoring for the presence of marine mammals and
sea turtles. Specifically PSO's shall:
(A) Monitor at all hours of the day, scanning the ocean surface by
eye for a minimum of 40 minutes every hour.
(B) Monitor the area where maintenance and repair work is conducted
beginning at daybreak using 25x power binoculars and/or hand-held
binoculars. Night vision devices must be provided as standard equipment
for monitoring during low-light hours and at night.
(C) Conduct general 360[deg] visual monitoring during any given
watch period and target scanning by the observer shall occur when
alerted of a whale presence.
(D) Alert the vessel superintendent or construction crew supervisor
of visual detections within 2 miles (3.31 kilometers) immediately.
(E) Record all sightings on marine mammal field sighting logs.
Specifically, all data shall be entered at the time of observation,
notes of activities will be kept, and a daily report prepared and
attached to the daily field sighting log form. The basic reporting
requirements include the following:
Beaufort sea state;
Wind speed;
Wind direction;
Temperature;
Precipitation;
Glare;
Percent cloud cover;
Number of animals;
Species;
Position;
Distance;
Behavior;
Direction of movement; and
Apparent reaction to construction activity.
(iv) In the event that a whale is visually observed within the 2-
mile (3.31-kilometers) zone of influence (ZOI) of a DP vessel or other
construction vessel that has shown to emit noise with source level in
excess of 139 dB re 1 [mu]Pa @ 1 m, the PSO will notify the repair/
maintenance construction crew to minimize the use of thrusters until
the animal has moved away, unless there are divers in the water or an
ROV is deployed.
(d) Acoustic Monitoring
(i) Northeast Gateway shall deploy 10 ABs within the Separation
Zone of the TSS for the operational life of the Project.
(ii) The ABs shall be used to detect a calling North Atlantic right
whale an average of 5 nm from each AB. The AB system shall be the
primary detection mechanism that alerts the EBRV Master to the
occurrence of right whales, heightens EBRV awareness, and triggers
necessary mitigation actions as described in section (5) above.
(iii) Northeast Gateway shall conduct short-term passive acoustic
monitoring to document sound levels during:
(A) The initial operational events in the 2014-2015 winter heating
season;
(B) regular deliveries outside the winter heating season should
such deliveries occur; and (C) scheduled and unscheduled maintenance
and repair activities.
(iv) Northeast Gateway shall conduct long-term monitoring of the
noise environment in Massachusetts Bay in the vicinity of the NEG Port
and Pipeline Lateral using marine autonomous recording units (MARUs)
when there is anticipated to be more than 5 LNG shipments in a 30-day
period or over 20 shipments in a six-month period.
(v) The acoustic data collected in 6(d)(ii) shall be analyzed to
document the seasonal occurrences and overall distributions of whales
(primarily fin, humpback and right whales) within approximately 10 nm
of the NEG Port and shall measure and document the noise ``budget'' of
Massachusetts Bay so as to eventually assist in determining whether or
not an overall increase in noise in the Bay associated with the Project
might be having a potentially negative impact on marine mammals.
(vi) Northeast Gateway shall make all acoustic data, including data
previously collected by the MARUs during prior construction,
operations, and maintenance and repair activities, available to NOAA.
Data storage will be the responsibility of NOAA.
(e) Acoustic Whale Detection and Response Plan
(i) NEG Port Operations
(A) Ten (10) ABs that have been deployed since 2007 shall be used
to continuously screen the low-frequency acoustic environment (less
than 1,000 Hertz) for right whale contact calls occurring within an
approximately 5-nm radius from each buoy (the AB's detection range).
(B) Once a confirmed detection is made, the Master of any EBRVs
operating in the area will be alerted immediately.
(ii) NEG Port and Pipeline Lateral Planned and Unplanned/Emergency
Repair and Maintenance Activities
(A) If the repair/maintenance work is located outside of the
detectible range of the 10 project area ABs, Northeast Gateway and
Algonquin shall consult with NOAA (NMFS and SBNMS) to determine if the
work to be conducted warrants the temporary installation of an
additional AB(s) to help detect and provide early warnings for
potential occurrence of right whales in the vicinity of the repair
area.
(B) The number of ABs installed around the activity site shall be
commensurate with the type and spatial extent of maintenance/repair
work required, but must be sufficient to detect vocalizing right whales
within the 120-dB impact zone.
(C) Should acoustic monitoring be deemed necessary during a planned
or unplanned/emergency repair and/or maintenance event, active
monitoring for right whale calls shall begin 24 hours prior to the
start of activities.
(D) Revised noise level data from the acoustic recording units
deployed in the NEG Port and/or Pipeline Lateral maintenance and repair
area shall be provided to NMFS.
[[Page 78817]]
Reporting Measures
(a) Throughout NEG Port and Pipeline Lateral operations, Northeast
Gateway and Algonquin shall provide a monthly Monitoring Report. The
Monitoring Report shall include:
(i) Both copies of the raw visual EBRV lookout sighting information
of marine mammals that occurred within 2 miles of the EBRV while the
vessel transits within the TSS, maneuvers within the ATBA, and/or when
actively engaging in the use of thrusters, and a summary of the data
collected by the look-outs over each reporting period.
(ii) Copies of the raw PSO sightings information on marine mammals
gathered during pipeline repair or maintenance activities. This visual
sighting data shall then be correlated to periods of thruster activity
to provide estimates of marine mammal takes (per species/species class)
that took place during each reporting period.
(iii) Conclusion of any planned or unplanned/emergency repair and/
or maintenance period, a report shall be submitted to NMFS summarizing
the repair/maintenance activities, marine mammal sightings (both visual
and acoustic), empirical source-level measurements taken during the
repair work, and any mitigation measures taken.
(b) During the maintenance and repair of NEG Port and Pipeline
Lateral components, weekly status reports shall be provided to NOAA
(both NMFS and SBNMS) using standardized reporting forms. The weekly
reports shall include data collected for each distinct marine mammal
species observed in the repair/maintenance area during the period that
maintenance and repair activities were taking place. The weekly reports
shall include the following information:
(i) Location (in longitude and latitude coordinates), time, and the
nature of the maintenance and repair activities;
(ii) Indication of whether a DP system was operated, and if so, the
number of thrusters being used and the time and duration of DP
operation;
(iii) Marine mammals observed in the area (number, species, age
group, and initial behavior);
(iv) The distance of observed marine mammals from the maintenance
and repair activities;
(v) Changes, if any, in marine mammal behaviors during the
observation;
(vi) A description of any mitigation measures (power-down,
shutdown, etc.) implemented;
(vii) Weather condition (Beaufort sea state, wind speed, wind
direction, ambient temperature, precipitation, and percent cloud cover
etc.);
(viii) Condition of the observation (visibility and glare); and
(ix) Details of passive acoustic detections and any action taken in
response to those detections.
(d) Injured/Dead Protected Species Reporting
(i) In the unanticipated event that survey operations clearly cause
the take of a marine mammal in a manner prohibited by the proposed IHA,
such as an injury (Level A harassment), serious injury or mortality
(e.g., ship-strike, gear interaction, and/or entanglement), NEG and/or
Algonquin shall immediately cease activities and immediately report the
incident to the Supervisor of the Incidental Take Program, Permits and
Conservation Division, Office of Protected Resources, NMFS, at 301-427-
8401 and/or by email to Jolie.Harrison@noaa.gov and Shane.Guan@noaa.gov
and the Northeast Regional Stranding Coordinators
(Mendy.Garron@noaa.gov or Lanni.Hall@noaa.gov) or by phone at 978-281-
9300. The report must include the following information:
(A) Time, date, and location (latitude/longitude) of the incident;
(B) the name and type of vessel involved;
(C) the vessel's speed during and leading up to the incident;
(D) description of the incident;
(E) status of all sound source use in the 24 hours preceding the
incident;
(F) water depth;
(G) environmental conditions (e.g., wind speed and direction,
Beaufort sea state, cloud cover, and visibility);
(H) description of marine mammal observations in the 24 hours
preceding the incident;
(I) species identification or description of the animal(s)
involved;
(J) the fate of the animal(s); and
(K) photographs or video footage of the animal (if equipment is
available).
Activities shall not resume until NMFS is able to review the
circumstances of the prohibited take. NMFS shall work with NEG and/or
Algonquin to determine what is necessary to minimize the likelihood of
further prohibited take and ensure MMPA compliance. NEG and/or
Algonquin may not resume their activities until notified by NMFS via
letter, email, or telephone.
(ii) In the event that NEG and/or Algonquin discovers an injured or
dead marine mammal, and the lead PSO determines that the cause of the
injury or death is unknown and the death is relatively recent (i.e., in
less than a moderate state of decomposition as described in the next
paragraph), NEG and/or Algonquin will immediately report the incident
to the Supervisor of the Incidental Take Program, Permits and
Conservation Division, Office of Protected Resources, NMFS, at 301-427-
8401, and/or by email to Jolie.Harrison@noaa.gov and
Shane.Guan@noaa.gov and the NMFS Northeast Stranding Coordinators
(Mendy.Garron@noaa.gov or Lanni.Hall@noaa.gov) or by phone at 978-281-
9300, within 24 hours of the discovery. The report must include the
same information identified above. Activities may continue while NMFS
reviews the circumstances of the incident. NMFS will work with NEG and/
or Algonquin to determine whether modifications in the activities are
appropriate.
(iii) In the event that NEG or Algonquin discovers an injured or
dead marine mammal, and the lead PSO determines that the injury or
death is not associated with or related to the activities authorized
(if the IHA is issued) (e.g., previously wounded animal, carcass with
moderate to advanced decomposition, or scavenger damage), NEG and/or
Algonquin shall report the incident to the Supervisor of the Incidental
Take Program, Permits and Conservation Division, Office of Protected
Resources, NMFS, at 301-427-8401, and/or by email to
Jolie.Harrison@noaa.gov and Shane.Guan@noaa.gov and the NMFS Northeast
Stranding Coordinators (Mendy.Garron@noaa.gov or Lanni.Hall@noaa.gov)
or by phone at 978-281-9300, within 24 hours of the discovery. NEG and/
or Algonquin shall provide photographs or video footage (if available)
or other documentation of the stranded animal sighting to NMFS and the
Marine Mammal Stranding Network. NEG and/or Algonquin can continue its
operations under such a case.
Summary of Previous Monitoring Reports
Based on monthly activity reports submitted to NMFS for the period
between August 2010 and January 2014, there were no activities at the
NEG Port during the period. Therefore, no take of marine mammals
occurred or were reported during this period.
Estimated Take by Incidental Harassment
Except with respect to certain activities not pertinent here, the
MMPA defines ``harassment'' as: Any act of pursuit, torment, or
annoyance which (i) has the potential to injure a marine mammal or
marine mammal stock in the wild [Level A harassment]; or (ii) has the
potential to disturb a marine
[[Page 78818]]
mammal or marine mammal stock in the wild by causing disruption of
behavioral patterns, including, but not limited to, migration,
breathing, nursing, breeding, feeding, or sheltering [Level B
harassment]. Only take by Level B harassment is anticipated as a result
of NEG's operation and maintenance and repair activities. Anticipated
take of marine mammals is associated with operation of dynamic
positioning during the docking of the LNG vessels and positioning of
maintenance and dive vessels, and by operations of certain machinery
during maintenance and repair activities. The regasification process
itself is an activity that does not rise to the level of taking, as the
modeled source level for this activity is 108 dB, which is below our
current threshold for Level B harassment. Certain species may have a
behavioral reaction to the sound emitted during the activities. Hearing
impairment is not anticipated. Additionally, vessel strikes are not
anticipated, especially because of the speed restriction measures that
are required and were described earlier in this document.
The full suite of potential impacts to marine mammals was described
in detail in the ``Potential Effects of the Specified Activity on
Marine Mammals'' section in the 2013 proposed IHA notice. The potential
effects of sound from the proposed open water marine survey programs
might include one or more of the following: masking of natural sounds;
behavioral disturbance; non-auditory physical effects; and, at least in
theory, temporary or permanent hearing impairment (Richardson et al.
1995). As discussed earlier in this document, the most common impact
will likely be from behavioral disturbance, including avoidance of the
ensonified area or changes in speed, direction, and/or diving profile
of the animal. For reasons discussed previously in this document,
temporary or permanent hearing impairment (TTS and PTS, respectively)
is highly unlikely to occur based on the proposed mitigation and
monitoring measures that would preclude marine mammals from being
exposed to noise levels high enough to cause hearing impairment.
For non-pulse sounds, such as those produced by operating dynamic
positioning (DP) thruster during vessel docking and supporting
underwater construction and repair activities and the operations of
various machineries that produces non-pulse noises, NMFS uses the 120
dB (rms) re 1 [mu]Pa isopleth to indicate the onset of Level B
harassment.
NEG Port and Algonquin Pipeline Lateral Activities Acoustic Footprints
I. NEG Port Operations
For the purposes of understanding the noise footprint of operations
at the NEG Port, measurements taken to capture operational noise
(docking, undocking, regasification, and EBRV thruster use) during the
2006 Gulf of Mexico field event were taken at the source. Measurements
taken during EBRV transit were normalized to a distance of 328 feet
(100 meters) to serve as a basis for modeling sound propagation at the
NEG Port site in Massachusetts Bay.
Sound propagation calculations for operational activities were then
completed at two positions in Massachusetts Bay to determine site-
specific distances to the 120/160/180 dB isopleths:
Operations Position 1--Port (EBRV Operations):
70[deg]36.261' W and 42[deg]23.790' N
Operations Position 2--Boston TSS (EBRV Transit):
70[deg]17.621' W and 42[deg]17.539' N
At each of these locations sound propagation calculations were
performed to determine the noise footprint of the operation activity at
each of the specified locations. Calculations were performed in
accordance with Marsh and Schulkin (1985) and Richardson et al. (1995)
and took into consideration aspects of water depth, sea state,
bathymetry, and seabed composition. In addition, the acoustic modeling
performed specifically evaluated sound energy in 1/3-octave spectral
bands covering frequencies from 12.5 Hz to 20 kHz. The resultant
distances to the 120 dB isopleth are presented in Table 1.
Table 1--Radii of 120-dB SPL Isopleths From NEG LNG Operations
------------------------------------------------------------------------
Radius to
120-dB zone
(m)
------------------------------------------------------------------------
One EBRV docking procedure with support vessel............. 4,250
Two EBRV docking procedure with support vessel............. 5,500
EBRV regasification........................................ <300
EBRV transiting the TSS (10 knot).......................... 1,750
------------------------------------------------------------------------
II. NEG Port Maintenance and Repair
Modeling analysis conducted for the construction of the NEG Port
concluded that the only underwater noise of critical concern during NEG
Port construction would be from vessel noises such as turning screws,
engine noise, noise of operating machinery, and thruster use. To
confirm these modeled results and better understand the noise footprint
associated with construction activities at the NEG Port, field
measurements were taken of various construction activities during the
2007 NEG Port and Algonquin Pipeline Lateral Construction period.
Measurements were taken and normalized as described to establish the
``loudest'' potential construction measurement event. One position
within Massachusetts Bay was then used to determine site-specific
distances to the 120/180 dB isopleths for NEG Port maintenance and
repair activities:
Construction Position 1. Port: 70[deg]36.261' W and
42[deg]23.790' N
Sound propagation calculations were performed to determine the
noise footprint of the construction activity. The calculations took
into consideration aspects of water depth, sea state, bathymetry, and
seabed composition, and specifically evaluated sound energy in the
range that encompasses the auditory frequencies of marine mammals and
at which sound propagates beyond the immediate vicinity of the source.
These results were then summed across frequencies to provide the
broadband received levels at receptor locations. The results showed
that the estimated distance from the loudest source involved in
construction activities fell to 120 dB re 1 [mu]Pa at a distance of
3,600 m.
III. Algonquin Pipeline Lateral Maintenance and Repair Activities
Modeling analysis conducted during the NEG Port and Pipeline
Lateral construction concluded that the only underwater noise of
critical concern during such activities would be from vessel noises
such as turning screws, engine noise, noise of operating machinery, and
thruster use. As with construction noise at the NEG Port, to confirm
modeled results and better understand the noise footprint associated
with construction activities along the Algonquin Pipeline Lateral,
field measurements were taken of various construction activities during
the 2007 NEG Port and Algonquin Pipeline Lateral construction period.
Measurements were taken and normalized to establish the ``loudest''
potential construction measurement event. Two positions within
Massachusetts Bay were then used to determine site-specific distances
to the 120/160/180 dB isopleths:
Construction Position 2. PLEM: 70[deg]46.755' W and
42[deg]28.764' N
Construction Position 3. Mid-Pipeline: 70[deg]40.842' W
and 42[deg]31.328' N
[[Page 78819]]
Sound propagation calculations were performed to determine the
noise footprint of the construction activity. The calculations took
into consideration aspects of water depth, sea state, bathymetry, and
seabed composition, and specifically evaluated sound energy in the
range that encompasses the auditory frequencies of marine mammals and
at which sound propagates beyond the immediate vicinity of the source.
These results were then summed across frequencies to provide the
broadband received levels at receptor locations. The results of the
distances to the 120-dB isopleths are shown in Table 2.
Table 2--Radii of 120-dB SPL Isopleths From Algonquin Pipeline Lateral
Maintenance and Repair
------------------------------------------------------------------------
Radius to
120-dB zone
(m)
------------------------------------------------------------------------
Barge/tug (pulling & pushing)/construction vessel/barge 3,600
@PLEM.....................................................
Barge/tug (pulling & pushing)/construction vessel/barge 2,831
@mid-pipeline.............................................
------------------------------------------------------------------------
The basis for Northeast Gateway and Algonquin's take estimate is
the number of marine mammals that would be exposed to sound levels at
or in excess of 120 dB, which is the threshold used by NMFS for
harassment from non-pulse sounds. For the NEG LNG Port and Algonquin
Pipeline Lateral operations and maintenance and repair activities, the
take estimates are determined by multiplying the 120-dB ensonified area
by local marine mammal density estimates, and then multiplying by the
estimated number of days such activities would occur during a year-long
period. For the NEG Port operations, the 120-dB ensonfied area is 56.8
km\2\ for a single visit during docking when running DP system. For NEG
Port and Algonquin Pipeline Lateral maintenance and repair activities,
modeling based on the empirical measurements showed that the distance
of the 120-dB radius is expected to be 3.6 km, making a maximum 120-dB
ZOI area of approximately 40.7 km\2\.
Although there have been no LNG deliveries since February 2010 at
the NEG LNG Port, under full operation, NEG expects it would receive up
to 65 LNG shipments per year, and would require 14 days for NEG Port
maintenance and up to 40 days for planned and unplanned Algonquin
Pipeline Lateral maintenance and repair.
NMFS recognizes that baleen whale species other than North Atlantic
right whales have been sighted in the project area from May to
November. However, the occurrence and abundance of fin, humpback, and
minke whales is not well documented within the project area.
Nonetheless, NMFS uses the data on cetacean distribution within
Massachusetts Bay, such as those published by the National Centers for
Coastal Ocean Science (NCCOS 2006), to estimate potential takes of
marine mammals species in the vicinity of project area.
The NCCOS study used cetacean sightings from two sources: (1) the
North Atlantic Right Whale Consortium (NARWC) sightings database held
at the University of Rhode Island (Kenney, 2001); and (2) the Manomet
Bird Observatory (MBO) database, held at NMFS Northeast Fisheries
Science Center (NEFSC). The NARWC data contained survey efforts and
sightings data from ship and aerial surveys and opportunistic sources
between 1970 and 2005. The main data contributors included: Cetacean
and Turtles Assessment Program (CETAP), Canadian Department of
Fisheries and Oceans, PCCS, International Fund for Animal Welfare,
NOAA's NEFSC, New England Aquarium, Woods Hole Oceanographic
Institution, and the University of Rhode Island. A total of 653,725 km
(406,293 mi) of survey track and 34,589 cetacean observations were
provisionally selected for the NCCOS study in order to minimize bias
from uneven allocation of survey effort in both time and space. The
sightings-per-unit-effort (SPUE) was calculated for all cetacean
species by month covering the southern Gulf of Maine study area, which
also includes the project area (NCCOS, 2006).
The MBO's Cetacean and Seabird Assessment Program (CSAP) was
contracted from 1980 to 1988 by NMFS NEFSC to provide an assessment of
the relative abundance and distribution of cetaceans, seabirds, and
marine turtles in the shelf waters of the northeastern United States
(MBO, 1987). The CSAP program was designed to be completely compatible
with NMFS NEFSC databases so that marine mammal data could be compared
directly with fisheries data throughout the time series during which
both types of information were gathered. A total of 5,210 km (8,383 mi)
of survey distance and 636 cetacean observations from the MBO data were
included in the NCCOS analysis. Combined valid survey effort for the
NCCOS studies included 567,955 km (913,840 mi) of survey track for
small cetaceans (dolphins and porpoises) and 658,935 km (1,060,226 mi)
for large cetaceans (whales) in the southern Gulf of Maine. The NCCOS
study then combined these two data sets by extracting cetacean sighting
records, updating database field names to match the NARWC database,
creating geometry to represent survey tracklines and applying a set of
data selection criteria designed to minimize uncertainty and bias in
the data used.
Owing to the comprehensiveness and total coverage of the NCCOS
cetacean distribution and abundance study, NMFS calculated the
estimated take number of marine mammals based on the most recent NCCOS
report published in December 2006. A summary of seasonal cetacean
distribution and abundance in the project area is provided above, in
the ``Description of Marine Mammals in the Area of the Specified
Activities'' section. For a detailed description and calculation of the
cetacean abundance data and SPUE, please refer to the NCCOS study
(NCCOS, 2006). These data show that the relative abundance of North
Atlantic right, fin, humpback, minke, sei, and pilot whales, and
Atlantic white-sided dolphins for all seasons, as calculated by SPUE in
number of animals per square kilometer, is 0.0082, 0.0097, 0.0118,
0.0059, 0.0084, 0.0407, and 0.1314 n/km, respectively.
In calculating the area density of these species from these linear
density data, NMFS used 0.5 mi (0.825 km) as the hypothetical strip
width (W). This strip width is based on the distance of visibility used
in the NARWC data that was part of the NCCOS (2006) study. However,
those surveys used a strip transect instead of a line transect
methodology. Therefore, in order to obtain a strip width, one must
divide the visibility or transect value in half. Since the visibility
value used in the NARWC data was 2.3 mi (3.7 km), it thus gives a strip
width of 1.15 mi (1.85 km). The hypothetical strip width used in the
analysis is less than half of that derived from the NARWC data,
therefore, the analysis provided here is more protective in calculating
marine mammal densities in the area. Based on this information, the
area density (D) of these species in the project area can be obtained
by the following formula:
D = SPUE/2W
where D is marine mammal density in the area, and W is the strip width.
Based on this calculation method, the estimated take numbers per year
for North Atlantic right, fin, humpback, minke, sei, and pilot whales,
and
[[Page 78820]]
Atlantic white-sided dolphins by the NEG Port facility operations
(maximum 65 visits per year), NEG Port maintenance and repair (up to 14
days per year), and Algonquin Pipeline Lateral operation and
maintenance (up to 40 days per year), are 29, 35, 42, 21, 30, 145, and
469, respectively (Table 3). These numbers represent approximately
6.59%, 1%, 5.12%, 0.1%, 8.4%, 1.2%, and 1% of the populations for these
species based on the latest NMFS Atlantic marine mammal stock
assessment reports (Waring et al. 2013), respectively. Since it is very
likely that individual animals could be ``taken'' by harassment
multiple times, these percentages are the upper boundary of the animal
population that could be affected. The actual number of individual
animals being exposed or taken would likely be far less. There is no
danger of injury, death, or hearing impairment from the exposure to
these noise levels.
Table 3--Estimated Annual Takes, by Level B Harassment, of Marine
Mammals From the NEG Port and Algonquin Pipeline Lateral Operations and
Maintenance and Repair Activities in Massachusetts Bay
------------------------------------------------------------------------
Number of
Species Population/stock takes
------------------------------------------------------------------------
Right whale...................... Western Atlantic........ 29
Humpback whale................... Gulf of Maine........... 42
Fin whale........................ Western North Atlantic.. 35
Sei whale........................ Nova Scotia............. 30
Minke whale...................... Canadian East Coast..... 21
Long-finned pilot whale.......... Western North Atlantic.. 145
Atlantic white-sided dolphin..... Western North Atlantic.. 469
Bottlenose dolphin............... Western North Atlantic 20
Southern Migratory.
Short-beaked common dolphin...... Western North Atlantic.. 40
Risso's dolphin.................. Western North Atlantic.. 40
Killer whale..................... Western North Atlantic.. 10
Harbor porpoise.................. Gulf of Maine/Bay of 20
Fundy.
Harbor seal...................... Western North Atlantic.. 60
Gray seal........................ Western North Atlantic.. 30
------------------------------------------------------------------------
In addition, bottlenose dolphins, common dolphins, killer whales,
Risso's dolphins, harbor porpoises, harbor seals, and gray seals could
also be taken by Level B harassment as a result of deepwater NEG Port
and Algonquin Pipeline Lateral operations and maintenance and repair.
Since these species are less likely to occur in the area, and there are
no density estimates specific to this particular area, NMFS based the
take estimates on typical group size. Therefore, NMFS estimates that up
to approximately 20 bottlenose dolphins, 40 short-beaked common
dolphins, 40 Risso's dolphins, 10 killer whales, 20 harbor porpoises,
60 harbor seals, and 30 gray seals could be exposed to continuous noise
at or above 120 dB re 1 [mu]Pa rms incidental to operations during the
one year period of the IHA, respectively. These numbers represent
0.16%, 0.06%, 0.26%, and 0.03% of the bottlenose dolphin, short-beaked
common dolphin, Risso's dolphin, and harbor porpoise populations/
stocks. Since no population/stock estimates for killer whale, and
harbor and gray seals is available, the percentage of estimated takes
for these species is unknown. Nevertheless, since Massachusetts Bay
represents only a small fraction of the western North Atlantic basin
where these animals occur, NMFS has determined that the takes of 10
killer whales, 60 harbor seals, and 30 gray seals represent a
relatively small number of marine mammals of the affected species or
populations stocks (Table 3). The take estimates presented in this
section of the document do not take into consideration the mitigation
and monitoring measures that are required in the IHA.
Negligible Impact and Small Numbers Analysis and Determination
NMFS has defined ``negligible impact'' in 50 CFR 216.103 as ``. . .
an impact resulting from the specified activity that cannot be
reasonably expected to, and is not reasonably likely to, adversely
affect the species or stock through effects on annual rates of
recruitment or survival.'' In making a negligible impact determination,
NMFS considers a variety of factors, including but not limited to: (1)
The number of anticipated mortalities; (2) the number and nature of
anticipated injuries; (3) the number, nature, intensity, and duration
of Level B harassment; and (4) the context in which the takes occur.
No injuries or mortalities are anticipated to occur as a result of
Northeast Gateway LNG Port Algonquin Pipeline Lateral operations and
maintenance and repair activities, and none are authorized by NMFS.
Additionally, animals in the area are not anticipated to incur any
hearing impairment (i.e., TTS or PTS), as the modeling of source levels
indicates that none of the source received levels exceed 180 dB (rms).
While some of the species occur in the proposed project area year-
round, some species only occur in the area during certain seasons.
Humpback and minke whales are not expected in the project area in the
winter. During the winter, a large portion of the North Atlantic right
whale population occurs in the southeastern U.S. calving grounds (i.e.,
South Carolina, Georgia, and northern Florida). The fact that certain
activities will occur during times when certain species are not
commonly found in the area will help reduce the amount of Level B
harassment for these species.
Many animals perform vital functions, such as feeding, resting,
traveling, and socializing, on a diel cycle (24-hr cycle). Behavioral
reactions to noise exposure (such as disruption of critical life
functions, displacement, or avoidance of important habitat) are more
likely to be significant if they last more than one diel cycle or recur
on subsequent days (Southall et al., 2007). Consequently, a behavioral
response lasting less than one day and not recurring on subsequent days
is not considered particularly severe unless it could directly affect
reproduction or survival (Southall et al. 2007). Operational activities
are not anticipated to occur at the Port on consecutive days. In
addition, Northeast Gateway EBRVs are expected to make a maximum of 65
port calls throughout the year (and likely less), with thruster use
needed for a couple of hours. Therefore, Northeast
[[Page 78821]]
Gateway will not be creating increased sound levels in the marine
environment for prolonged periods of time.
Of the 14 marine mammal species likely to occur in the area, four
are listed as endangered under the ESA: North Atlantic right, humpback,
and fin whales. All of these species are also considered depleted under
the MMPA. There is currently no designated critical habitat or known
reproductive areas for any of these species in or near the proposed
project area. However, there are several well-known North Atlantic
right whale feeding grounds in the Cape Cod Bay and Great South
Channel. No mortality or injury is expected to occur, and due to the
nature, degree, and context of the Level B harassment anticipated, the
activity is not expected to impact rates of recruitment or survival.
There is no critical habitat or biologically important areas for marine
mammals within the proposed project area.
The population estimates for the species that may be taken by Level
B behavioral harassment contained in the most recent U.S. Atlantic
Stock Assessment Reports were provided earlier in this document. From
the most protective estimates of both marine mammal densities in the
project area and the size of the 120-dB ZOI, the maximum calculated
number of individual marine mammals for each species that could
potentially be harassed annually is small relative to the overall
population sizes.
Based on the analysis contained herein of the likely effects of the
specified activity on marine mammals and their habitat, and taking into
consideration the implementation of the mitigation and monitoring
measures, NMFS finds that the proposed Northeast Gateway LNG Port and
Algonquin Pipeline Lateral operations and maintenance and repair
activities would result in the incidental take of small numbers of
marine mammals, by Level B harassment only, and that the total taking
from Northeast Gateway and Algonquin's proposed activities will have a
negligible impact on the affected species or stocks.
Impact on Availability of Affected Species or Stock for Taking for
Subsistence Uses
There are no relevant subsistence uses of marine mammals implicated
by this action. Therefore, NMFS has determined that the total taking of
affected species or stocks would not have an unmitigable adverse impact
on the availability of such species or stocks for taking for
subsistence purposes.
Endangered Species Act (ESA)
Our November 18, 2013, Federal Register notice of proposed IHA
described the history and status of Endangered Species Act (ESA)
compliance for the NE Gateway LNG facility. As explained in that
notice, the biological opinions for construction and operation of the
facility only analyzed impacts on ESA-listed species from activities
under the initial construction period and during operations, and did
not take into consideration potential impacts to marine mammals that
could result from the subsequent LNG Port and Pipeline Lateral
maintenance and repair activities. In addition, NEG also revealed that
significantly more water usage and vessel operating air emissions are
needed from what was originally evaluated for the LNG Port operation.
NMFS PR1 initiated consultation with NMFS Greater Atlantic Region
Fisheries Office under section 7 of the ESA on the proposed issuance of
an IHA to NEG under section 101(a)(5)(D) of the MMPA for the proposed
activities that include increased NEG Port and Algonquin Pipeline
Lateral maintenance and repair and water usage for the LNG Port
operations this activity. A Biological Opinion was issued on November
21, 2014, and concluded that the proposed action may adversely affect
but is not likely to jeopardize the continued existence of ESA-listed
right, humpback, fin, and sei whales.
National Environmental Policy Act
MARAD and the USCG released a Final EIS/Environmental Impact Report
(EIR) for the proposed Northeast Gateway Port and Pipeline Lateral. A
notice of availability was published by MARAD on October 26, 2006 (71
FR 62657). The Final EIS/EIR provides detailed information on the
proposed project facilities, construction methods and analysis of
potential impacts on marine mammals.
NMFS was a cooperating agency (as defined by the Council on
Environmental Quality (40 CFR 1501.6)) in the preparation of the Draft
and Final EISs. NMFS reviewed the Final EIS and adopted it on May 4,
2007. NMFS issued a separate Record of Decision for issuance of
authorizations pursuant to section 101(a)(5) of the MMPA for the
construction and operation of the Northeast Gateway's LNG Port Facility
in Massachusetts Bay. A 2010 environmental assessment/environmental
impact assessment conducted by TetraTech analyzed the increased water
usage and other operational changes. We reviewed that document to
determine whether there is a need for supplemental NEPA analysis based
on any substantial changes between the current proposed action and the
proposed action analyzed for the FEIS/EIR or any significant new
circumstances or information relevant to environmental concerns and
bearing on the proposed action or its impacts. Based on our review of
that analysis, we have determined that supplementation was not
required.
Authorization
NMFS has issued an IHA to Northeast Gateway for conducting LNG Port
facility and Pipeline Lateral operations and maintenance and repair
activities in Massachusetts Bay, provided the previously mentioned
mitigation, monitoring, and reporting requirements are incorporated.
Dated: December 23, 2014.
Donna S. Wieting,
Director, Office of Protected Resources, National Marine Fisheries
Service.
[FR Doc. 2014-30539 Filed 12-30-14; 8:45 am]
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