Update to the 2016 National Preparedness for Response Exercise Program (PREP) Guidelines, 49563-49566 [2018-21450]
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Federal Register / Vol. 83, No. 191 / Tuesday, October 2, 2018 / Notices
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LabOne, Inc. d/b/a Quest Diagnostics,
10101 Renner Blvd., Lenexa, KS
66219, 913–888–3927/800–873–8845
(Formerly: Quest Diagnostics
Incorporated; LabOne, Inc.; Center for
Laboratory Services, a Division of
LabOne, Inc.)
MedTox Laboratories, Inc., 402 W.
County Road D, St. Paul, MN 55112,
651–636–7466/800–832–3244
Legacy Laboratory Services—MetroLab,
1225 NE 2nd Ave., Portland, OR
97232, 503–413–5295/800–950–5295
Minneapolis Veterans Affairs Medical
Center, Forensic Toxicology
Laboratory, 1 Veterans Drive,
Minneapolis, MN 55417, 612–725–
2088, Testing for Veterans Affairs
(VA) Employees Only
National Toxicology Laboratories, Inc.,
1100 California Ave., Bakersfield, CA
93304, 661–322–4250/800–350–3515
One Source Toxicology Laboratory, Inc.,
1213 Genoa-Red Bluff, Pasadena, TX
77504, 888–747–3774 (Formerly:
University of Texas Medical Branch,
Clinical Chemistry Division; UTMB
Pathology-Toxicology Laboratory)
Pacific Toxicology Laboratories, 9348
DeSoto Ave., Chatsworth, CA 91311,
800–328–6942 (Formerly: Centinela
Hospital Airport Toxicology
Laboratory)
Pathology Associates Medical
Laboratories, 110 West Cliff Dr.,
Spokane, WA 99204, 509–755–8991/
800–541–7891x7
Phamatech, Inc., 15175 Innovation
Drive, San Diego, CA 92128, 888–
635–5840
Quest Diagnostics Incorporated, 1777
Montreal Circle, Tucker, GA 30084,
800–729–6432 (Formerly: SmithKline
Beecham Clinical Laboratories;
SmithKline Bio-Science Laboratories)
Quest Diagnostics Incorporated, 400
Egypt Road, Norristown, PA 19403,
610–631–4600/877–642–2216
(Formerly: SmithKline Beecham
Clinical Laboratories; SmithKline BioScience Laboratories)
Redwood Toxicology Laboratory, 3700
Westwind Blvd., Santa Rosa, CA
95403, 800–255–2159
U.S. Army Forensic Toxicology Drug
Testing Laboratory, 2490 Wilson St.,
Fort George G. Meade, MD 20755–
5235, 301–677–7085, Testing for
Department of Defense (DoD)
Employees Only
Charles P. LoDico,
Chemist.
[FR Doc. 2018–21345 Filed 10–1–18; 8:45 am]
BILLING CODE 4162–20–P
* The Standards Council of Canada (SCC) voted
to end its Laboratory Accreditation Program for
Substance Abuse (LAPSA) effective May 12, 1998.
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DEPARTMENT OF HOMELAND
SECURITY
Coast Guard
[USCG–2017–0894]
RIN 1625–ZA37
Update to the 2016 National
Preparedness for Response Exercise
Program (PREP) Guidelines
Coast Guard, DHS.
Notice of availability of the
2016.1 PREP Guidelines.
AGENCY:
ACTION:
The Coast Guard announces
the availability of the final 2016.1
National Preparedness for Response
Exercise Program (PREP) Guidelines.
The Coast Guard publishes this notice
on behalf of the Preparedness for
Response Exercise Program Compliance,
Coordination, and Consistency
Committee (PREP 4C). The PREP 4C
includes representatives from the Coast
Guard under the Department of
Homeland Security, the Environmental
Protection Agency, the Pipeline and
Hazardous Materials Safety
Administration under the Department of
Transportation, and the Bureau of Safety
and Environmental Enforcement under
the Department of the Interior.
DATES: The 2016.1 PREP Guidelines are
effective on October 1, 2018.
ADDRESSES: To view the 2016.1 PREP
Guidelines, as well as documents
mentioned in this notice as being
available in the docket, go to https://
www.regulations.gov, type ‘‘USCG–
2017–0894’’ and click ‘‘Search.’’ Then
click the ‘‘Open Docket Folder.’’
FOR FURTHER INFORMATION CONTACT: For
information about the 2016.1 PREP
Guidelines, call Mr. Jonathan Smith,
Office of Marine Environmental
SUMMARY:
Laboratories certified through that program were
accredited to conduct forensic urine drug testing as
required by U.S. Department of Transportation
(DOT) regulations. As of that date, the certification
of those accredited Canadian laboratories will
continue under DOT authority. The responsibility
for conducting quarterly performance testing plus
periodic on-site inspections of those LAPSAaccredited laboratories was transferred to the U.S.
HHS, with the HHS’ NLCP contractor continuing to
have an active role in the performance testing and
laboratory inspection processes. Other Canadian
laboratories wishing to be considered for the NLCP
may apply directly to the NLCP contractor just as
U.S. laboratories do.
Upon finding a Canadian laboratory to be
qualified, HHS will recommend that DOT certify
the laboratory (Federal Register, July 16, 1996) as
meeting the minimum standards of the Mandatory
Guidelines published in the Federal Register on
January 23, 2017 (82 FR 7920). After receiving DOT
certification, the laboratory will be included in the
monthly list of HHS-certified laboratories and
participate in the NLCP certification maintenance
program.
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49563
Response Policy, Coast Guard,
telephone 202–372–2675; Mr. Troy
Swackhammer, Office of Emergency
Management, Regulations
Implementation Division,
Environmental Protection Agency,
telephone 202–564–1966; Mr. John
Caplis, Oil Spill Preparedness Division,
Bureau of Safety and Environmental
Enforcement, telephone 703–787–1364;
and Mr. Eddie Murphy, Office of
Pipeline Safety, Department of
Transportation, telephone 202–366–
4595.
SUPPLEMENTARY INFORMATION:
I. Abbreviations
BSEE Bureau of Safety and Environmental
Enforcement
CFR Code of Federal Regulations
EPA Environmental Protection Agency
FR Federal Register
HSEEP Homeland Security Exercise and
Evaluation Program
IMT Incident Management Team
MSEL Master Scenario Event List
PREP Preparedness for Response Exercise
Program
PREP 4C PREP Compliance, Coordination,
and Consistency Committee
QI Qualified Individual
RAC Remote Assessment and Consultation
SMFF Salvage and Marine Firefighting
TTX Tabletop exercise
II. Background
On December 22, 2017, the Coast
Guard, on behalf of the Preparedness for
Response Exercise Program Compliance,
Coordination, and Consistency
Committee (PREP 4C), published for
public comment a draft update to the
2016 PREP Guidelines in the Federal
Register (82 FR 60693). We referred to
the draft update as the ‘‘2016.1 PREP
Guidelines.’’ On February 26, 2018, the
Coast Guard published for public
comment (83 FR 8290) an economic
analysis of the potential deregulatory
savings that may result from the draft
update. During the 2 public comment
periods, we received 11 comments. One
commenter submitted an identical
comment three times. Therefore, the
docket reflects 13 submissions. All
comments are posted on https://
www.regulations.gov under docket
number USCG–2017–0894. Below are
our responses to the public comments
and a discussion of the changes made as
a result of the public comments.
III. Summary of Comments and
Changes
Of the 11 comment submissions
received over the 2 comment periods, 9
addressed the proposed reduction to the
Remote Assessment and Consultation
(RAC) drill frequency. Four of these
submissions were generally
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unsupportive of the proposed reduction
to the RAC drill frequency, while five
were generally supportive. None of the
comments regarding the frequency of
RAC drills were submitted by plan
holders. With the exception of one, all
comments in support of reducing the
frequency of RAC drills were from
salvage providers. One salvage provider
opposed reducing the frequency of RAC
drills. The other commenters who
opposed reducing the frequency of RAC
drills were from individual citizens and
citizens’ advisory councils who felt that
reducing RAC drill frequency from one
drill per year to once every 3 years is
inadequate for purposes of ensuring the
salvage providers fully recognize the
scope of area for which they are
responsible to cover. Three comment
submissions addressed concerns
regarding the language for Incident
Management Team (IMT) exercises for
offshore facilities regulated by the
Bureau of Safety and Environmental
Enforcement (BSEE), which include (1)
the members of an IMT which must be
exercised, (2) the involvement of
participating IMT members in the
design phase of the exercise, (3) the
exercising of source control positions,
and (4) the requirement that IMT
exercises must be a functional exercise
rather than a tabletop exercise for
offshore facilities as outlined in section
6.2 and appendix B of the PREP
Guidelines. One comment submission
addressed concerns over response
timelines for facilities regulated by the
Environmental Protection Agency (EPA)
in remote locations.
Coast Guard Response to Industry
Comments
One commenter noted the Coast
Guard ‘‘committed waste by conducting
a deregulatory savings analysis for
guidelines that are voluntary to
regulated industry and for which, the
Coast Guard did not identify any costs
or potential cost savings associated with
the Federal Government.’’ The
commenter also noted the annualized
cost savings analysis to the maritime
industry is a benefit to private industry
that apparently outweighs the Coast
Guard’s own policy to ensure adequate
spill response planning and
preparedness. Finally, the commenter
noted, ‘‘the potential costs and benefits
were originally determined to be found
‘not significant.’ ’’
Response: As mentioned above, the
Coast Guard conducted a deregulatory
savings analysis for the population
affected by a reduction in RAC drills,
which are plan holders that would be
required to conduct RAC drills for
vessels listed in their respective
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response plans. As stated in our
deregulatory savings analysis, we did
not identify any cost savings associated
with the Federal Government. We
disagree with the commenter that the
‘‘benefit to private industry apparently
outweighs the Coast Guard’s own policy
to ensure adequate spill response
planning and preparedness . . .’’ First
and foremost, we do not believe plan
holders’ response preparedness will
degrade by reducing RAC drills. Our
intent in reducing the frequency of RAC
drills is to establish adequate spill
response planning and preparedness
without imposing an undue burden on
plan holders. Finally, we are unsure
what the commenter is referring to
when the commenter states, ‘‘the
potential costs and benefits [. . .] were
originally determined to be found not
significant.’’ The Coast Guard did not
make a prior statement regarding the
significance or non-significance of the
potential costs and benefits in either the
deregulatory savings analysis or the
notice of availability, in which we
invited the public to comment on the
deregulatory savings analysis.
Reduction of RAC drill frequency: As
mentioned above, 9 of the 11 comment
submissions concerned the proposed
Coast Guard change that reduced the
RAC drill frequency from one annual
RAC drill per vessel to one triennial
RAC drill per plan holder, noting that a
single plan holder may have
responsibility over a fleet of vessels and
not just one vessel. The supportive
comments cited the financial and
administrative burden of the current
RAC drill frequency, and one
commenter noted that the proposed
reduction in frequency is more
reasonable and would not degrade
response preparedness. The opposing
comments noted that the reduction in
RAC drills would diminish vessel
master or crew familiarity with Salvage
and Marine Firefighting (SMFF)
emergency protocols, and would
degrade overall preparedness.
Additionally, the unsupportive
comments cited the importance of
keeping RAC drills as unique, vesselcentric drills that emphasize interaction
between vessel crew and salvage
provider, versus plan holder-centric
drills. Additionally, commenters that
opposed the reduction in RAC drills
were concerned that the proposed
reduction in drill frequency would
diminish the SMFF provider’s ability to
accurately assess a condition that may
be compromising to the safety of a
vessel and that, in turn, could impair
the effectiveness of a response.
Response: The purpose of a required
RAC drill is to exercise the procedure
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for a RAC performed between the SMFF
provider and the vessel owner or
operator. We expect these drills to be
more than just notifications and,
instead, seek to encourage substantive
interaction between the vessel master
and crew and the SMFF provider. The
Coast Guard believes the benefit of
exercising one vessel in a plan will
extend to all vessels in the plan.
Randomized selection of a vessel
within a fleet for RAC drill purposes:
One commenter noted the need to add
language specifying random selection of
a vessel within a fleet for purposes of
performing a RAC drill.
Response: Under the final 2016.1
PREP Guidelines, the plan holder has
discretion for vessel selection.
Nevertheless, this suggestion has merit
and we urge plan holders to conduct
random selections when determining
which vessel, within a fleet of vessels,
performs a RAC drill. Moreover, the
Coast Guard will consider adding a
‘‘random selection’’ requirement in
future revisions to the PREP Guidelines.
Recordkeeping for RAC drills: One
commenter noted some confusing
language in the guidelines regarding
whether both the Qualified Individual
(QI) and the vessel are required to retain
records.
Response: Coast Guard regulations
require the vessel owner to maintain
records for training and exercises.
Pursuant to 33 CFR 155.1060(f), a vessel
owner or operator must ensure that
exercise records are maintained and
available to the Coast Guard for 3 years
following the completion of the
exercise. Under existing PREP
guidelines, the vessel owner or operator
must maintain RAC exercise records for
manned vessels in a minimum of two
locations, on the vessel and with one of
the following: The U.S. location of the
QI, the vessel owner or operator, the
IMT, or the SMFF provider. The Vessel
Response Plan must state the location of
the records. This requirement remains
unchanged in the 2016.1 PREP
Guidelines. Currently, PREP guidelines
require RAC exercise records for
unmanned tank barges to be kept either
on board the barge or with the Vessel
Response Plan for the barge. This
requirement remains unchanged in the
2016.1 PREP Guidelines. However, the
Coast Guard may consider changing the
required location of RAC exercise
records for both manned and unmanned
vessels now that the requirement
applies to plan holders, and may
include a fleet of vessels covered by a
plan. Until that time, we encourage plan
holders to maintain RAC exercise
records on board each vessel on the
plan. This will assist the Coast Guard
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Federal Register / Vol. 83, No. 191 / Tuesday, October 2, 2018 / Notices
when it verifies compliance with
exercise requirements during vessel
inspections.
Environmental Protection AgencyRegulated Facilities Comments
Alternative timelines for extreme
situations: One commenter suggested
that the Environmental Protection
Agency (EPA) allow regional
administrators to develop alternative
timelines for ‘‘extreme situations’’ when
it is unfeasible to secure oil spill
recovery equipment on scene within
response timelines specified in 40 CFR
part 112 because of the geographic
remoteness of some facilities.
Response: The EPA’s Facility
Response Plan regulation in 40 CFR part
112, subpart D, does not include a
provision to request alternate
timeframes outlined in appendix E for
responses to small, medium, and worstcase discharge planning levels.
However, the EPA encourages plan
holders to evaluate the specific response
needs (both equipment and personnel
considerations) for their facilities,
which may include partnerships with
companies operating in the same oil
fields.
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Bureau of Safety and Environmental
Enforcement-Regulated Offshore
Facilities Comments
Participation of the Incident
Commander during an IMT exercise:
One commenter stated that the proposed
change in section 6.2 of the guidelines,
which involves including the
‘‘command and general staffs, at a
minimum,’’ would require the
participation by every member of the
IMT in each IMT exercise. The
commenter recommended changing the
language to state that the ‘‘incident
command, as well as the command and
general staff, may be exercised with
appropriate objectives during an IMT
exercise.’’
Response: BSEE agrees with the
commenter that not all members of the
entire IMT must participate in each IMT
exercise, but rather participation by the
command and general staff in any
particular IMT exercise should be
driven by the objectives being tested.
BSEE has adjusted the language to
clarify this point in section 6.2 of the
2016.1 PREP Guidelines. The primary
purpose for adjusting the language in
section 6.2 is to clarify that the
participating incident commander is
considered part of the IMT that is being
exercised and, as such, should not be
given access to the script and Master
Scenario Event List (MSEL) prior to the
start of the exercise.
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Including source control positions as
exercise participants: One commenter
stated that some IMT exercises might
have source control objectives that are
minimal in nature, such as only
activating a source control provider, and
would not require further participation
of source control positions. This
commenter suggested clarifying the
language to state that source control
positions should participate in an IMT
exercise ‘‘as appropriate.’’
Response: BSEE agrees that source
control positions do not always need to
be exercised for every scenario that has
a source control component. The
language in the 2016.1 PREP Guidelines
states that a source control branch
should be exercised when source
control objectives are a significant
element of the scenario. BSEE believes
the existing language leads to the same
outcome that the commenter wants, and
that the existing language provides
greater clarity regarding the agency’s
intent regarding this matter. As such,
the existing language will remain
unchanged.
Ensuring IMT exercise participants do
not have prior knowledge of the exercise
scenario: Three commenters commented
on this issue. The first commenter stated
that while there may be times when
portions of the exercise specifics may
have to be divulged to certain IMT
members that will be playing in the
exercise, those instances should be kept
to a minimum. This commenter also
noted that having advance knowledge of
the scenario allows the players to
develop tactics and strategies prior to
the exercise. However, the commenter
felt that developing solutions
collaboratively between industry,
government agencies, and other
stakeholders during exercises provides a
more valuable overall learning
experience for participants.
Response: BSEE agrees.
The second commenter stated that the
exercise scenario script is typically
general in nature and does not greatly
affect how the response is organized or
conducted. The commenter also
recommended amending language in the
2016.1 PREP Guidelines to refer to the
MSEL instead of the scenario script.
Response: BSEE considers the MSEL
to be a critical supporting document to
the exercise scenario script, and agrees
with the commenter that IMT members
who participate in the exercise should
not have prior access to or knowledge of
the MSEL. BSEE has amended the
language in section 6.2 of the 2016.1
PREP Guidelines to include a reference
to the MSEL in addition to the scenario
script.
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49565
The third commenter agreed that
preventing IMT participants from
having prior access to the information
on the exercise scenario results in a
better test of preparedness. However,
this commenter requested that BSEE
clarify that these exercises test the
overall preparedness of the company,
rather than evaluate each IMT member’s
performance.
Response: BSEE believes that IMT
exercises should test both the overall
preparedness of the company and the
individual preparedness of each
member of the IMT, as appropriate,
based on the exercise objectives. The
performance of IMT members during an
exercise is an important indicator of the
plan holder’s overall preparedness to
respond to an actual incident, and
should be evaluated. BSEE does not
agree with, and has not adopted, the
change requested by the commenter.
Exercising source control and subsea
containment capabilities: One
commenter stated that source control
operations are the weak link in a major
oil spill response and source control
equipment should be exercised in the
same way as any other spill response
equipment, including offshore
deployments.
Response: While BSEE agrees that
source control is a critical part of any
response, BSEE disagrees that source
control equipment should be exercised
in the same manner as all other spill
response equipment. While this
comment is outside of the scope of the
changes proposed in the 2016.1 PREP
Guidelines, this subject was addressed
at length in the preamble of the Federal
Register notice that published the final
2016 PREP Guidelines (81 FR 21362).
As outlined in Notices to Lessees 2010–
N10 and 2012–N06,1 30 CFR part 254
requires a plan holder to describe a
Worst Case Discharge in its plan, and
then exercise how it will respond to the
discharge, including identifying any
equipment necessary to contain and
recover the discharge. BSEE interprets
this regulatory language to be inclusive
of any resources necessary to contain
and secure the source of a potential or
actual discharge, which could include
the use of well control capabilities such
as capping stacks, cap and flow
equipment, subsea containment devices,
and other supporting equipment. As the
current regulations in 30 CFR part 254
do not establish a required interval for
the deployment of this type of
equipment, the 2016.1 PREP Guidelines
cannot provide any additional guidance
1 Notices to Lessees can be found on BSEE’s
website at https://www.bsee.gov/guidance-andregulations/guidance/notice-to-lessees.
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on a specific exercise frequency
requirement at this time. In the absence
of any defined scope and frequency
interval in the regulations, BSEE will
continue to conduct deployments of
source control capabilities at the
discretion of the BSEE Oil Spill
Preparedness Division Chief, in
consultation with the appropriate BSEE
Regional Director, as needed in order to
assess and verify the overall
preparedness of a plan holder, or group
of plan holders, to operate in an Outer
Continental Shelf region. As the scope
and cost of such deployment exercises
can be quite large, BSEE does not intend
to require plan holders or providers of
source control, subsea containment, and
supporting equipment to conduct
deployment exercises at the same semiannual or annual frequency as required
for other spill response equipment.
BSEE purposely added section 6.5 to the
2016.1 PREP Guidelines to provide
specific interim guidance for exercising
source control and subsea containment
equipment. BSEE will work to clarify
expectations and requirements in the
regulations in a future rulemaking.
The Nature of IMT exercises for
offshore facilities: One commenter
stated that the title of section 6.2 of the
2016.1 PREP Guidelines should be
changed from ‘‘Functional Exercise (FE):
Incident Management Team Exercise—
Offshore Facility’’ to ‘‘Tabletop Exercise
(TTX): Incident Management Team
Exercise—Offshore Facility’’ to better
align with language in 30 CFR part 254.
Response: While this comment is
outside of the scope of the proposed
changes made in the 2016.1 PREP
Guidelines, the BSEE feels it is
important to provide clarification on
this important issue. When the PREP 4C
published the 2016 PREP Guidelines, it
updated many terms and concepts to
align with developments that have
occurred in the National Response
System since the previous version was
published in 2002. This included
adopting the term ‘‘Incident
Management Team,’’ as opposed to
‘‘Spill Management Team,’’ as well as
incorporating many elements of today’s
exercise typology and terminology as
established by the Homeland Security
Exercise and Evaluation Program
(HSEEP). As such, the 2016 PREP
Guidelines changed ‘‘SMT Tabletop
Exercises (TTX)’’ to ‘‘IMT Exercise.’’
This language was purposely adopted to
allow each PREP agency the flexibility
to determine the type and scope of the
IMT exercise. As defined in HSEEP and
the 2016 PREP Guidelines, a TTX is a
type of discussion-based exercise
intended to generate discussion of
various issues regarding a hypothetical,
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simulated emergency. The 2016 PREP
Guidelines also state that discussionbased exercises focus on strategic,
policy-oriented issues, with facilitators
or presenters usually leading the
discussion to keep participants on track
to meet exercise objectives. In addition,
the 2016 PREP Guidelines state that
functional exercises focus on exercising
plans, policies, and procedures, and
staff members are involved in
management, direction, command, and
control functions. In functional
exercises, events are projected through
an exercise scenario with event updates
that drive activity at the management
level, and are conducted in a realistic,
real-time environment, even though the
movement of personnel and equipment
is usually simulated. The BSEE believes
that functional exercises, as currently
defined by the terminology under
HSEEP and the 2016 PREP Guidelines,
more closely capture the stated intent of
30 CFR 254.42(b)(1), which provides
that ‘‘the exercise must test the spill
management team’s organization,
communication and decision-making in
managing a response.’’ Therefore, the
BSEE will retain the ‘‘Functional
Exercise (FE)’’ language in the existing
title for section 6.2 of the 2016.1 PREP
Guidelines. However, in a future
regulatory update, the BSEE will amend
the exercise terminology in 30 CFR
254.42(b)(1) to reflect that an annual
IMT functional exercise is required to
properly align the CFR terminology with
today’s HSEEP and the PREP guidance.
For additional background information
on the adoption of HSEEP exercise
terminology for the 2016 PREP
Guidelines, see 81 FR 21362.
IV. Cost Savings Analysis
Since our affected population and
projected cost estimates have remained
the same from when we published the
potential deregulatory savings analysis
in February 2018, we have retained the
projected cost-saving estimates for this
notice, which we present below. As
stated in the aforementioned economic
analysis, which is available in the
public docket, we estimate the net cost
savings to the U.S. maritime industry to
be $1,084,671 annually ($1,177,975 for
drills under prior PREP Guidelines—
$93,304 for drills under new PREP
Guidelines), undiscounted. We estimate
the discounted net cost savings to the
U.S. maritime industry over a 10-year
period of analysis to be between $7.6
million and $9.3 million at 7- and 3percent discount rates, respectively. The
Coast Guard did not identify any costs
or potential cost savings associated with
the Federal government as a result of the
changes in the 2016.1 PREP Guidelines.
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V. Public Availability of 2016.1 PREP
Guidelines
The PREP 4C has finalized the 2016.1
PREP Guidelines, which are now
publicly available. The Coast Guard is
releasing the 2016.1 PREP Guidelines on
behalf of the PREP 4C.
In addition to the docket, the 2016.1
PREP Guidelines are available at https://
homeportr.uscg.mil/missions/incidentmanagement-and-preparedness/
contingency-exercises/port-levelexercises/port-level-exercises-generalinformation.
Dated: September 27, 2018.
K. M. Sligh,
Acting Chief, Office of Marine Environmental
Response Policy.
[FR Doc. 2018–21450 Filed 10–1–18; 8:45 am]
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DEPARTMENT OF HOMELAND
SECURITY
U.S. Customs and Border Protection
[1651–0018]
Agency Information Collection
Activities: Ship’s Store Declaration
U.S. Customs and Border
Protection (CBP), Department of
Homeland Security.
ACTION: 30-Day notice and request for
comments; Extension of an existing
collection of information.
AGENCY:
The Department of Homeland
Security, U.S. Customs and Border
Protection will be submitting the
following information collection request
to the Office of Management and Budget
(OMB) for review and approval in
accordance with the Paperwork
Reduction Act of 1995 (PRA). The
information collection is published in
the Federal Register to obtain comments
from the public and affected agencies.
Comments are encouraged and will be
accepted no later than November 1,
2018 to be assured of consideration.
ADDRESSES: Interested persons are
invited to submit written comments on
this proposed information collection to
the Office of Information and Regulatory
Affairs, Office of Management and
Budget. Comments should be addressed
to the OMB Desk Officer for Customs
and Border Protection, Department of
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FOR FURTHER INFORMATION CONTACT:
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should be directed to Seth Renkema,
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SUMMARY:
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Agencies
[Federal Register Volume 83, Number 191 (Tuesday, October 2, 2018)]
[Notices]
[Pages 49563-49566]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-21450]
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DEPARTMENT OF HOMELAND SECURITY
Coast Guard
[USCG-2017-0894]
RIN 1625-ZA37
Update to the 2016 National Preparedness for Response Exercise
Program (PREP) Guidelines
AGENCY: Coast Guard, DHS.
ACTION: Notice of availability of the 2016.1 PREP Guidelines.
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SUMMARY: The Coast Guard announces the availability of the final 2016.1
National Preparedness for Response Exercise Program (PREP) Guidelines.
The Coast Guard publishes this notice on behalf of the Preparedness for
Response Exercise Program Compliance, Coordination, and Consistency
Committee (PREP 4C). The PREP 4C includes representatives from the
Coast Guard under the Department of Homeland Security, the
Environmental Protection Agency, the Pipeline and Hazardous Materials
Safety Administration under the Department of Transportation, and the
Bureau of Safety and Environmental Enforcement under the Department of
the Interior.
DATES: The 2016.1 PREP Guidelines are effective on October 1, 2018.
ADDRESSES: To view the 2016.1 PREP Guidelines, as well as documents
mentioned in this notice as being available in the docket, go to https://www.regulations.gov, type ``USCG-2017-0894'' and click ``Search.''
Then click the ``Open Docket Folder.''
FOR FURTHER INFORMATION CONTACT: For information about the 2016.1 PREP
Guidelines, call Mr. Jonathan Smith, Office of Marine Environmental
Response Policy, Coast Guard, telephone 202-372-2675; Mr. Troy
Swackhammer, Office of Emergency Management, Regulations Implementation
Division, Environmental Protection Agency, telephone 202-564-1966; Mr.
John Caplis, Oil Spill Preparedness Division, Bureau of Safety and
Environmental Enforcement, telephone 703-787-1364; and Mr. Eddie
Murphy, Office of Pipeline Safety, Department of Transportation,
telephone 202-366-4595.
SUPPLEMENTARY INFORMATION:
I. Abbreviations
BSEE Bureau of Safety and Environmental Enforcement
CFR Code of Federal Regulations
EPA Environmental Protection Agency
FR Federal Register
HSEEP Homeland Security Exercise and Evaluation Program
IMT Incident Management Team
MSEL Master Scenario Event List
PREP Preparedness for Response Exercise Program
PREP 4C PREP Compliance, Coordination, and Consistency Committee
QI Qualified Individual
RAC Remote Assessment and Consultation
SMFF Salvage and Marine Firefighting
TTX Tabletop exercise
II. Background
On December 22, 2017, the Coast Guard, on behalf of the
Preparedness for Response Exercise Program Compliance, Coordination,
and Consistency Committee (PREP 4C), published for public comment a
draft update to the 2016 PREP Guidelines in the Federal Register (82 FR
60693). We referred to the draft update as the ``2016.1 PREP
Guidelines.'' On February 26, 2018, the Coast Guard published for
public comment (83 FR 8290) an economic analysis of the potential
deregulatory savings that may result from the draft update. During the
2 public comment periods, we received 11 comments. One commenter
submitted an identical comment three times. Therefore, the docket
reflects 13 submissions. All comments are posted on https://www.regulations.gov under docket number USCG-2017-0894. Below are our
responses to the public comments and a discussion of the changes made
as a result of the public comments.
III. Summary of Comments and Changes
Of the 11 comment submissions received over the 2 comment periods,
9 addressed the proposed reduction to the Remote Assessment and
Consultation (RAC) drill frequency. Four of these submissions were
generally
[[Page 49564]]
unsupportive of the proposed reduction to the RAC drill frequency,
while five were generally supportive. None of the comments regarding
the frequency of RAC drills were submitted by plan holders. With the
exception of one, all comments in support of reducing the frequency of
RAC drills were from salvage providers. One salvage provider opposed
reducing the frequency of RAC drills. The other commenters who opposed
reducing the frequency of RAC drills were from individual citizens and
citizens' advisory councils who felt that reducing RAC drill frequency
from one drill per year to once every 3 years is inadequate for
purposes of ensuring the salvage providers fully recognize the scope of
area for which they are responsible to cover. Three comment submissions
addressed concerns regarding the language for Incident Management Team
(IMT) exercises for offshore facilities regulated by the Bureau of
Safety and Environmental Enforcement (BSEE), which include (1) the
members of an IMT which must be exercised, (2) the involvement of
participating IMT members in the design phase of the exercise, (3) the
exercising of source control positions, and (4) the requirement that
IMT exercises must be a functional exercise rather than a tabletop
exercise for offshore facilities as outlined in section 6.2 and
appendix B of the PREP Guidelines. One comment submission addressed
concerns over response timelines for facilities regulated by the
Environmental Protection Agency (EPA) in remote locations.
Coast Guard Response to Industry Comments
One commenter noted the Coast Guard ``committed waste by conducting
a deregulatory savings analysis for guidelines that are voluntary to
regulated industry and for which, the Coast Guard did not identify any
costs or potential cost savings associated with the Federal
Government.'' The commenter also noted the annualized cost savings
analysis to the maritime industry is a benefit to private industry that
apparently outweighs the Coast Guard's own policy to ensure adequate
spill response planning and preparedness. Finally, the commenter noted,
``the potential costs and benefits were originally determined to be
found `not significant.' ''
Response: As mentioned above, the Coast Guard conducted a
deregulatory savings analysis for the population affected by a
reduction in RAC drills, which are plan holders that would be required
to conduct RAC drills for vessels listed in their respective response
plans. As stated in our deregulatory savings analysis, we did not
identify any cost savings associated with the Federal Government. We
disagree with the commenter that the ``benefit to private industry
apparently outweighs the Coast Guard's own policy to ensure adequate
spill response planning and preparedness . . .'' First and foremost, we
do not believe plan holders' response preparedness will degrade by
reducing RAC drills. Our intent in reducing the frequency of RAC drills
is to establish adequate spill response planning and preparedness
without imposing an undue burden on plan holders. Finally, we are
unsure what the commenter is referring to when the commenter states,
``the potential costs and benefits [. . .] were originally determined
to be found not significant.'' The Coast Guard did not make a prior
statement regarding the significance or non-significance of the
potential costs and benefits in either the deregulatory savings
analysis or the notice of availability, in which we invited the public
to comment on the deregulatory savings analysis.
Reduction of RAC drill frequency: As mentioned above, 9 of the 11
comment submissions concerned the proposed Coast Guard change that
reduced the RAC drill frequency from one annual RAC drill per vessel to
one triennial RAC drill per plan holder, noting that a single plan
holder may have responsibility over a fleet of vessels and not just one
vessel. The supportive comments cited the financial and administrative
burden of the current RAC drill frequency, and one commenter noted that
the proposed reduction in frequency is more reasonable and would not
degrade response preparedness. The opposing comments noted that the
reduction in RAC drills would diminish vessel master or crew
familiarity with Salvage and Marine Firefighting (SMFF) emergency
protocols, and would degrade overall preparedness. Additionally, the
unsupportive comments cited the importance of keeping RAC drills as
unique, vessel-centric drills that emphasize interaction between vessel
crew and salvage provider, versus plan holder-centric drills.
Additionally, commenters that opposed the reduction in RAC drills were
concerned that the proposed reduction in drill frequency would diminish
the SMFF provider's ability to accurately assess a condition that may
be compromising to the safety of a vessel and that, in turn, could
impair the effectiveness of a response.
Response: The purpose of a required RAC drill is to exercise the
procedure for a RAC performed between the SMFF provider and the vessel
owner or operator. We expect these drills to be more than just
notifications and, instead, seek to encourage substantive interaction
between the vessel master and crew and the SMFF provider. The Coast
Guard believes the benefit of exercising one vessel in a plan will
extend to all vessels in the plan.
Randomized selection of a vessel within a fleet for RAC drill
purposes: One commenter noted the need to add language specifying
random selection of a vessel within a fleet for purposes of performing
a RAC drill.
Response: Under the final 2016.1 PREP Guidelines, the plan holder
has discretion for vessel selection. Nevertheless, this suggestion has
merit and we urge plan holders to conduct random selections when
determining which vessel, within a fleet of vessels, performs a RAC
drill. Moreover, the Coast Guard will consider adding a ``random
selection'' requirement in future revisions to the PREP Guidelines.
Recordkeeping for RAC drills: One commenter noted some confusing
language in the guidelines regarding whether both the Qualified
Individual (QI) and the vessel are required to retain records.
Response: Coast Guard regulations require the vessel owner to
maintain records for training and exercises. Pursuant to 33 CFR
155.1060(f), a vessel owner or operator must ensure that exercise
records are maintained and available to the Coast Guard for 3 years
following the completion of the exercise. Under existing PREP
guidelines, the vessel owner or operator must maintain RAC exercise
records for manned vessels in a minimum of two locations, on the vessel
and with one of the following: The U.S. location of the QI, the vessel
owner or operator, the IMT, or the SMFF provider. The Vessel Response
Plan must state the location of the records. This requirement remains
unchanged in the 2016.1 PREP Guidelines. Currently, PREP guidelines
require RAC exercise records for unmanned tank barges to be kept either
on board the barge or with the Vessel Response Plan for the barge. This
requirement remains unchanged in the 2016.1 PREP Guidelines. However,
the Coast Guard may consider changing the required location of RAC
exercise records for both manned and unmanned vessels now that the
requirement applies to plan holders, and may include a fleet of vessels
covered by a plan. Until that time, we encourage plan holders to
maintain RAC exercise records on board each vessel on the plan. This
will assist the Coast Guard
[[Page 49565]]
when it verifies compliance with exercise requirements during vessel
inspections.
Environmental Protection Agency-Regulated Facilities Comments
Alternative timelines for extreme situations: One commenter
suggested that the Environmental Protection Agency (EPA) allow regional
administrators to develop alternative timelines for ``extreme
situations'' when it is unfeasible to secure oil spill recovery
equipment on scene within response timelines specified in 40 CFR part
112 because of the geographic remoteness of some facilities.
Response: The EPA's Facility Response Plan regulation in 40 CFR
part 112, subpart D, does not include a provision to request alternate
timeframes outlined in appendix E for responses to small, medium, and
worst-case discharge planning levels. However, the EPA encourages plan
holders to evaluate the specific response needs (both equipment and
personnel considerations) for their facilities, which may include
partnerships with companies operating in the same oil fields.
Bureau of Safety and Environmental Enforcement-Regulated Offshore
Facilities Comments
Participation of the Incident Commander during an IMT exercise: One
commenter stated that the proposed change in section 6.2 of the
guidelines, which involves including the ``command and general staffs,
at a minimum,'' would require the participation by every member of the
IMT in each IMT exercise. The commenter recommended changing the
language to state that the ``incident command, as well as the command
and general staff, may be exercised with appropriate objectives during
an IMT exercise.''
Response: BSEE agrees with the commenter that not all members of
the entire IMT must participate in each IMT exercise, but rather
participation by the command and general staff in any particular IMT
exercise should be driven by the objectives being tested. BSEE has
adjusted the language to clarify this point in section 6.2 of the
2016.1 PREP Guidelines. The primary purpose for adjusting the language
in section 6.2 is to clarify that the participating incident commander
is considered part of the IMT that is being exercised and, as such,
should not be given access to the script and Master Scenario Event List
(MSEL) prior to the start of the exercise.
Including source control positions as exercise participants: One
commenter stated that some IMT exercises might have source control
objectives that are minimal in nature, such as only activating a source
control provider, and would not require further participation of source
control positions. This commenter suggested clarifying the language to
state that source control positions should participate in an IMT
exercise ``as appropriate.''
Response: BSEE agrees that source control positions do not always
need to be exercised for every scenario that has a source control
component. The language in the 2016.1 PREP Guidelines states that a
source control branch should be exercised when source control
objectives are a significant element of the scenario. BSEE believes the
existing language leads to the same outcome that the commenter wants,
and that the existing language provides greater clarity regarding the
agency's intent regarding this matter. As such, the existing language
will remain unchanged.
Ensuring IMT exercise participants do not have prior knowledge of
the exercise scenario: Three commenters commented on this issue. The
first commenter stated that while there may be times when portions of
the exercise specifics may have to be divulged to certain IMT members
that will be playing in the exercise, those instances should be kept to
a minimum. This commenter also noted that having advance knowledge of
the scenario allows the players to develop tactics and strategies prior
to the exercise. However, the commenter felt that developing solutions
collaboratively between industry, government agencies, and other
stakeholders during exercises provides a more valuable overall learning
experience for participants.
Response: BSEE agrees.
The second commenter stated that the exercise scenario script is
typically general in nature and does not greatly affect how the
response is organized or conducted. The commenter also recommended
amending language in the 2016.1 PREP Guidelines to refer to the MSEL
instead of the scenario script.
Response: BSEE considers the MSEL to be a critical supporting
document to the exercise scenario script, and agrees with the commenter
that IMT members who participate in the exercise should not have prior
access to or knowledge of the MSEL. BSEE has amended the language in
section 6.2 of the 2016.1 PREP Guidelines to include a reference to the
MSEL in addition to the scenario script.
The third commenter agreed that preventing IMT participants from
having prior access to the information on the exercise scenario results
in a better test of preparedness. However, this commenter requested
that BSEE clarify that these exercises test the overall preparedness of
the company, rather than evaluate each IMT member's performance.
Response: BSEE believes that IMT exercises should test both the
overall preparedness of the company and the individual preparedness of
each member of the IMT, as appropriate, based on the exercise
objectives. The performance of IMT members during an exercise is an
important indicator of the plan holder's overall preparedness to
respond to an actual incident, and should be evaluated. BSEE does not
agree with, and has not adopted, the change requested by the commenter.
Exercising source control and subsea containment capabilities: One
commenter stated that source control operations are the weak link in a
major oil spill response and source control equipment should be
exercised in the same way as any other spill response equipment,
including offshore deployments.
Response: While BSEE agrees that source control is a critical part
of any response, BSEE disagrees that source control equipment should be
exercised in the same manner as all other spill response equipment.
While this comment is outside of the scope of the changes proposed in
the 2016.1 PREP Guidelines, this subject was addressed at length in the
preamble of the Federal Register notice that published the final 2016
PREP Guidelines (81 FR 21362). As outlined in Notices to Lessees 2010-
N10 and 2012-N06,\1\ 30 CFR part 254 requires a plan holder to describe
a Worst Case Discharge in its plan, and then exercise how it will
respond to the discharge, including identifying any equipment necessary
to contain and recover the discharge. BSEE interprets this regulatory
language to be inclusive of any resources necessary to contain and
secure the source of a potential or actual discharge, which could
include the use of well control capabilities such as capping stacks,
cap and flow equipment, subsea containment devices, and other
supporting equipment. As the current regulations in 30 CFR part 254 do
not establish a required interval for the deployment of this type of
equipment, the 2016.1 PREP Guidelines cannot provide any additional
guidance
[[Page 49566]]
on a specific exercise frequency requirement at this time. In the
absence of any defined scope and frequency interval in the regulations,
BSEE will continue to conduct deployments of source control
capabilities at the discretion of the BSEE Oil Spill Preparedness
Division Chief, in consultation with the appropriate BSEE Regional
Director, as needed in order to assess and verify the overall
preparedness of a plan holder, or group of plan holders, to operate in
an Outer Continental Shelf region. As the scope and cost of such
deployment exercises can be quite large, BSEE does not intend to
require plan holders or providers of source control, subsea
containment, and supporting equipment to conduct deployment exercises
at the same semi-annual or annual frequency as required for other spill
response equipment. BSEE purposely added section 6.5 to the 2016.1 PREP
Guidelines to provide specific interim guidance for exercising source
control and subsea containment equipment. BSEE will work to clarify
expectations and requirements in the regulations in a future
rulemaking.
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\1\ Notices to Lessees can be found on BSEE's website at https://www.bsee.gov/guidance-and-regulations/guidance/notice-to-lessees.
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The Nature of IMT exercises for offshore facilities: One commenter
stated that the title of section 6.2 of the 2016.1 PREP Guidelines
should be changed from ``Functional Exercise (FE): Incident Management
Team Exercise--Offshore Facility'' to ``Tabletop Exercise (TTX):
Incident Management Team Exercise--Offshore Facility'' to better align
with language in 30 CFR part 254.
Response: While this comment is outside of the scope of the
proposed changes made in the 2016.1 PREP Guidelines, the BSEE feels it
is important to provide clarification on this important issue. When the
PREP 4C published the 2016 PREP Guidelines, it updated many terms and
concepts to align with developments that have occurred in the National
Response System since the previous version was published in 2002. This
included adopting the term ``Incident Management Team,'' as opposed to
``Spill Management Team,'' as well as incorporating many elements of
today's exercise typology and terminology as established by the
Homeland Security Exercise and Evaluation Program (HSEEP). As such, the
2016 PREP Guidelines changed ``SMT Tabletop Exercises (TTX)'' to ``IMT
Exercise.'' This language was purposely adopted to allow each PREP
agency the flexibility to determine the type and scope of the IMT
exercise. As defined in HSEEP and the 2016 PREP Guidelines, a TTX is a
type of discussion-based exercise intended to generate discussion of
various issues regarding a hypothetical, simulated emergency. The 2016
PREP Guidelines also state that discussion-based exercises focus on
strategic, policy-oriented issues, with facilitators or presenters
usually leading the discussion to keep participants on track to meet
exercise objectives. In addition, the 2016 PREP Guidelines state that
functional exercises focus on exercising plans, policies, and
procedures, and staff members are involved in management, direction,
command, and control functions. In functional exercises, events are
projected through an exercise scenario with event updates that drive
activity at the management level, and are conducted in a realistic,
real-time environment, even though the movement of personnel and
equipment is usually simulated. The BSEE believes that functional
exercises, as currently defined by the terminology under HSEEP and the
2016 PREP Guidelines, more closely capture the stated intent of 30 CFR
254.42(b)(1), which provides that ``the exercise must test the spill
management team's organization, communication and decision-making in
managing a response.'' Therefore, the BSEE will retain the ``Functional
Exercise (FE)'' language in the existing title for section 6.2 of the
2016.1 PREP Guidelines. However, in a future regulatory update, the
BSEE will amend the exercise terminology in 30 CFR 254.42(b)(1) to
reflect that an annual IMT functional exercise is required to properly
align the CFR terminology with today's HSEEP and the PREP guidance. For
additional background information on the adoption of HSEEP exercise
terminology for the 2016 PREP Guidelines, see 81 FR 21362.
IV. Cost Savings Analysis
Since our affected population and projected cost estimates have
remained the same from when we published the potential deregulatory
savings analysis in February 2018, we have retained the projected cost-
saving estimates for this notice, which we present below. As stated in
the aforementioned economic analysis, which is available in the public
docket, we estimate the net cost savings to the U.S. maritime industry
to be $1,084,671 annually ($1,177,975 for drills under prior PREP
Guidelines--$93,304 for drills under new PREP Guidelines),
undiscounted. We estimate the discounted net cost savings to the U.S.
maritime industry over a 10-year period of analysis to be between $7.6
million and $9.3 million at 7- and 3-percent discount rates,
respectively. The Coast Guard did not identify any costs or potential
cost savings associated with the Federal government as a result of the
changes in the 2016.1 PREP Guidelines.
V. Public Availability of 2016.1 PREP Guidelines
The PREP 4C has finalized the 2016.1 PREP Guidelines, which are now
publicly available. The Coast Guard is releasing the 2016.1 PREP
Guidelines on behalf of the PREP 4C.
In addition to the docket, the 2016.1 PREP Guidelines are available
at https://homeportr.uscg.mil/missions/incident-management-and-preparedness/contingency-exercises/port-level-exercises/port-level-exercises-general-information.
Dated: September 27, 2018.
K. M. Sligh,
Acting Chief, Office of Marine Environmental Response Policy.
[FR Doc. 2018-21450 Filed 10-1-18; 8:45 am]
BILLING CODE 9110-04-P