Marine Mammals; Incidental Take During Specified Activities; Proposed Incidental Harassment Authorization for Southern Beaufort Sea Stock of Polar Bears in the Prudhoe Bay Unit and Point Thomson Unit of the North Slope of Alaska, 61288-61314 [2021-24371]
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Federal Register / Vol. 86, No. 212 / Friday, November 5, 2021 / Notices
habitat conservation plan (HCP), and the
Service’s preliminary determination that
this HCP qualifies as ‘‘low-effect,’’
categorically excluded, under the
National Environmental Policy Act. To
make this determination, we used our
environmental action statement and
low-effect screening form, both of which
are also available for public review.
DATES: We must receive your written
comments on or before December 6,
2021.
ADDRESSES:
Obtaining Documents: You may
obtain copies of the documents online
in Docket No. FWS–R4–ES–2021–0122
at https://www.regulations.gov.
Submitting Comments: If you wish to
submit comments on any of the
documents, you may do so in writing by
any of the following methods:
• Online: https://www.regulations.gov.
Follow the instructions for submitting
comments on Docket No. FWS–R4–ES–
2021–0122.
• U.S. mail: Public Comments
Processing, Attn: Docket No. FWS–R4–
ES–2021–0122; U.S. Fish and Wildlife
Service, MS: PRB/3W, 5275 Leesburg
Pike, Falls Church, VA 22041–3803.
FOR FURTHER INFORMATION CONTACT: Erin
M. Gawera, by telephone at (904) 731–
3121 or via email at erin_gawera@
fws.gov. Individuals who are hearing or
speech impaired may call the Federal
Relay Service at 1–800–877–8339 for
TTY assistance.
SUPPLEMENTARY INFORMATION: We, the
Fish and Wildlife Service (Service),
announce receipt of an application from
VK Avalon Groves LLC (Serenoa
Commercial) for an incidental take
permit (ITP) under the Endangered
Species Act of 1973, as amended (ESA;
16 U.S.C. 1531 et seq.). The applicant
requests the ITP to take the federally
listed sand skink (Neoseps reynoldsi)
incidental to the construction of a
commercial development (project) in
Lake County, Florida. We request public
comment on the application, which
includes the applicant’s proposed
habitat conservation plan (HCP), and on
the Service’s preliminary determination
that this HCP qualifies as ‘‘low-effect,’’
categorically excluded, under the
National Environmental Policy Act
(NEPA; 42 U.S.C. 4231 et seq.). To make
this determination, we used our
environmental action statement and
low-effect screening form, both of which
are also available for public review.
Project
The applicant requests a 5-year ITP to
take sand skinks through the conversion
of approximately 1.2 acres (ac) of
occupied sand skink foraging and
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sheltering habitat incidental to the
construction of a commercial
development located on a 24-ac parcel
in Section 13; Township 24 South;
Range 26 East, Lake County, Florida,
identified by Parcel ID numbers 3–24–
26–0200–X01–00000 and 13–24–26–
0200–C8B–00000. The applicant
proposes to mitigate for take of the skink
by purchasing credits equivalent to 2.4
acres of occupied habitat from Lake
Wales Ridge Conservation Bank or
another Service-approved conservation
bank prior to any clearing activities.
Public Availability of Comments
Before including your address, phone
number, email address, or other
personal identifying information in your
comment, be aware that your entire
comment, including your personal
identifying information, may be made
available to the public. While you may
request that we withhold your personal
identifying information, we cannot
guarantee that we will be able to do so.
Our Preliminary Determination
The Service has made a preliminary
determination that the applicant’s
project, including land clearing,
infrastructure building, landscaping,
and the proposed mitigation measures,
would individually and cumulatively
have a minor or negligible effect on sand
skinks and the environment. Therefore,
we have preliminarily concluded that
the ITP for this project would qualify for
categorical exclusion and the HCP is
low effect under our NEPA regulations
at 43 CFR 46.205 and 46.210. A loweffect HCP is one that would result in
(1) minor or negligible effects on
federally listed, proposed, and
candidate species and their habitats; (2)
minor or negligible effects on other
environmental values or resources; and
(3) impacts that, when considered
together with the impacts of other past,
present, and reasonably foreseeable
similarly situated projects, would not
over time result in significant
cumulative effects to environmental
values or resources.
Next Steps
The Service will evaluate the
application and the comments received
to determine whether to issue the
requested permit. We will also conduct
an intra-Service consultation pursuant
to section 7 of the ESA to evaluate the
effects of the proposed take. After
considering the above findings, we will
determine whether the permit issuance
criteria of section 10(a)(1)(B) of the ESA
have been met. If met, the Service will
issue ITP number PER0015886–0 to VK
Avalon Groves LLC.
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Authority
The Service provides this notice
under section 10(c) of the ESA (16
U.S.C. 1531 et seq.) and its
implementing regulations (50 CFR
17.32) and NEPA (42 U.S.C. 4321 et
seq.) and its implementing regulations
(40 CFR 1506.6 and 43 CFR 46.305).
Robert L. Carey,
Division Manager, Environmental Review,
Florida Ecological Services Field Office.
[FR Doc. 2021–24124 Filed 11–4–21; 8:45 am]
BILLING CODE 4333–15–P
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
[Docket No. FWS–R7–ES–2021–0055;
FXES111607MRG01–212–FF07CAMM00]
Marine Mammals; Incidental Take
During Specified Activities; Proposed
Incidental Harassment Authorization
for Southern Beaufort Sea Stock of
Polar Bears in the Prudhoe Bay Unit
and Point Thomson Unit of the North
Slope of Alaska
Fish and Wildlife Service,
Interior.
ACTION: Notice of receipt of application;
proposed incidental harassment
authorization; notice of availability of
draft environmental assessment; request
for comments.
AGENCY:
We, the U.S. Fish and
Wildlife Service, received a request
under the Marine Mammal Protection
Act of 1972 from JADE Energy, LLC, for
authorization to take by Level B
harassment a small number of polar
bears from the Southern Beaufort Sea
(SBS) stock incidental to oil and gas
exploratory activities scheduled to
occur between December 1, 2021,
through November 30, 2022. These
activities include mobilization,
constructing ice roads and ice pads,
drilling wells, and associated cleanup in
the Prudhoe Bay Unit and Point
Thomson Unit of the North Slope of
Alaska. Mobilization would occur in
December 2021, along a winter trail
stretching east from Deadhorse, Alaska,
to Point Thomson, Alaska. Prepacking
of snow and construction of ice roads
and pads would begin mid-December
2021, and drilling would begin at JADE
#1 pad in late-January 2022. If
conditions are favorable, drilling on
JADE #2 pad would take place in midMarch 2022, preceding cleanup
activities, which are proposed to be
completed by July 15, 2022. We estimate
these activities may result in the
nonlethal incidental take of up to two
SUMMARY:
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SBS stock polar bears. This proposed
authorization, if finalized, will be for
take of two SBS stock polar bears by
Level B harassment only. No lethal or
Level A take of polar bears is likely or
requested, and, therefore, such take is
not included in this proposed
authorization.
DATES: Comments on this proposed
incidental harassment authorization and
the accompanying draft environmental
assessment must be received by
December 6, 2021.
ADDRESSES: Document availability: You
may view this proposed authorization,
the application package, supporting
information, draft environmental
assessment, and the list of references
cited herein at https://
www.regulations.gov under Docket No.
FWS–R7–ES–2021–0055, or these
documents may be requested as
described under FOR FURTHER
INFORMATION CONTACT. You may submit
comments on the proposed
authorization by one of the following
methods:
• U.S. mail: Public Comments
Processing, Attn: Docket No. FWS–R7–
ES–2012–0055, U.S. Fish and Wildlife
Service, MS: PRB (JAO/3W), 5275
Leesburg Pike, Falls Church, VA 22041–
3803.
• Electronic submission: Federal
eRulemaking Portal at: https://
www.regulations.gov. Follow the
instructions for submitting comments to
Docket No. FWS–R7–ES–2021–0055.
We will post all comments at https://
www.regulations.gov. You may request
that we withhold personal identifying
information from public review;
however, we cannot guarantee that we
will be able to do so. See Request for
Public Comments for more information.
FOR FURTHER INFORMATION CONTACT:
Charles Hamilton, U.S. Fish and
Wildlife Service, MS 341, 1011 East
Tudor Road, Anchorage, Alaska 99503,
by email at R7mmmregulatory@fws.gov
or by telephone at 1–800–362–5148.
Persons who use a telecommunications
device for the deaf (TDD) may call the
Federal Relay Service (FRS) at 1–800–
877–8339, 24 hours a day, 7 days a
week.
SUPPLEMENTARY INFORMATION:
Background
Section 101(a)(5)(D) of the Marine
Mammal Protection Act of 1972
(MMPA; 16 U.S.C. 1361, et seq.)
authorizes the Secretary of the Interior
(Secretary) to allow, upon request, the
incidental, but not intentional, taking by
harassment of small numbers of marine
mammals in response to requests by
U.S. citizens (as defined in title 50 of
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the Code of Federal Regulations (CFR)
in part 18, at 50 CFR 18.27(c)) engaged
in a specified activity (other than
commercial fishing) within a specific
geographic region for periods of not
more than 1 year. The Secretary has
delegated authority for implementation
of the MMPA to the U.S. Fish and
Wildlife Service (Service or we).
According to the MMPA, the Service
shall authorize this harassment if we
find that the total of such taking for the
1-year period:
(1) Is of small numbers of marine
mammals of a species or stock;
(2) will have a negligible impact on
such species or stocks; and
(3) will not have an unmitigable
adverse impact on the availability of
these species or stocks for taking for
subsistence uses by Alaska Natives.
If the requisite findings are made, we
issue an authorization that sets forth the
following, where applicable:
(a) Permissible methods of taking;
(b) means of effecting the least
practicable adverse impact on such
species or stock and its habitat and the
availability of the species or stock for
subsistence uses; and
(c) requirements for monitoring and
reporting of such taking by harassment,
including, in certain circumstances,
requirements for the independent peer
review of proposed monitoring plans or
other research proposals.
The term ‘‘take’’ means to harass,
hunt, capture, or kill, or attempt to
harass, hunt, capture, or kill any marine
mammal. ‘‘Harassment’’ means any act
of pursuit, torment, or annoyance which
(i) has the potential to injure a marine
mammal or marine mammal stock in the
wild (the MMPA defines this as ‘‘Level
A harassment’’), or (ii) has the potential
to disturb a marine 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 (the MMPA defines this as
‘‘Level B harassment’’).
The terms ‘‘negligible impact’’ and
‘‘unmitigable adverse impact’’ are
defined in 50 CFR 18.27 (i.e.,
regulations governing small takes of
marine mammals incidental to specified
activities) as follows: ‘‘Negligible
impact’’ is 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.
‘‘Unmitigable adverse impact’’ means an
impact resulting from the specified
activity: (1) That is likely to reduce the
availability of the species to a level
insufficient for a harvest to meet
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subsistence needs by (i) causing the
marine mammals to abandon or avoid
hunting areas, (ii) directly displacing
subsistence users, or (iii) placing
physical barriers between the marine
mammals and the subsistence hunters;
and (2) that cannot be sufficiently
mitigated by other measures to increase
the availability of marine mammals to
allow subsistence needs to be met.
The term ‘‘small numbers’’ is also
defined in 50 CFR 18.27. However, we
do not rely on that definition here as it
conflates ‘‘small numbers’’ with
‘‘negligible impacts.’’ We recognize
‘‘small numbers’’ and ‘‘negligible
impact’’ as separate and distinct
considerations when reviewing requests
for incidental harassment authorizations
(IHA) under the MMPA (see Natural
Res. Def. Council, Inc. v. Evans, 232 F.
Supp. 2d 1003, 1025 (N.D. Cal. 2003)).
Instead, for our small numbers
determination, we estimate the likely
number of takes of marine mammals
and evaluate if that take is small relative
to the size of the species or stock.
The term ‘‘least practicable adverse
impact’’ is not defined in the MMPA or
its enacting regulations. For this IHA,
we ensure the least practicable adverse
impact by requiring mitigation measures
that are effective in reducing the impact
of project activities, but they are not so
restrictive as to make project activities
unduly burdensome or impossible to
undertake and complete.
If the requisite findings are made, we
will issue an IHA, which will set forth
the following, where applicable: (i)
Permissible methods of taking; (ii) other
means of effecting the least practicable
impact on the species or stock and its
habitat, paying particular attention to
rookeries, mating grounds, and areas of
similar significance, and on the
availability of the species or stock for
taking for subsistence uses by coastaldwelling Alaska Natives (if applicable);
and (iii) requirements for monitoring
and reporting such taking by
harassment.
Summary of Request
On May 19, 2021, the Service received
a request on behalf of JADE Energy, LLC
(JADE), for nonlethal incidental
harassment of small numbers of SBS
stock polar bears during mobilization,
well drilling, construction of ice roads
and pads, and cleanup activities in the
Prudhoe Bay Unit (PBU) and Point
Thomson Unit (PTU) of the North Slope
of Alaska for a period of 1 year
(December 1, 2021, to November 30,
2022) (hereafter referred to as the
‘‘Request’’). After discussions with the
Service regarding project timelines and
mitigation measures, we received
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project shapefiles on May 25, 2021, and
a revised Request on June 9, 2021,
which was deemed adequate and
complete. JADE further amended their
June 9, 2021, Request to include
changes to the location of JADE #2 pad,
JADE #2 ice road, and planned location
of the winter trail. This final Request—
which is also adequate and complete—
was received August 2, 2021.
Description of Specified Activities and
Specific Geographic Region
The specified activities (hereafter
referred to as the ‘‘project’’) consists of
mobilization activities, construction of
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Staging and Mobilization
An overland winter trail stretching
from Deadhorse to Point Thomson will
be used for initial mobilization and
resupply throughout the project. The
winter trail is planned to be constructed
by Exxon Mobil Alaska Production Inc.
(EMAP); however, if EMAP is unable to
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ice roads and pads, drilling wells, and
cleanup and supporting activities. All
activities occur within Alaska’s North
Slope planning area. The North Slope
planning area has 1,225 tracts that lie
between the National Petroleum
Reserve—Alaska (NPRA) and the
boundary of the Arctic National Wildlife
Refuge (Arctic Refuge). The southern
boundary of the North Slope planning
area is the Umiat baseline. Mobilization
activities will stretch east from
Deadhorse in the PBU to Point Thomson
in the PTU and will not extend into the
Arctic Refuge. JADE is the majority
owner and operator of Alaska State oil
and gas lease ADL 343112, which is
located approximately 96.6 kilometers
(km) (60 miles [mi]) east of Prudhoe
Bay, Alaska, and 94 km (59 mi) west of
Kaktovik, Alaska. ADL 343112 is
located within the southeast portion of
the PTU and consists of 266.06 hectares
(ha) (657.45 acres [ac]) of land. Facilities
used during the duration of the project
activities are located in Point Thomson
at PTU central pad. JADE #1 is
approximately 9.09 km (5.65 mi)
southeast, and JADE #2 is located
approximately 6.37 km (3.96 mi)
southwest, of PTU central pad (figure 1).
construct the winter trail prior to JADE
activities, JADE will construct the
winter trail. Approximately 42 round
trips of drilling supplies, fuel, and
materials will be hauled by Pisten
Bullys and Steiger tractor trailer units
along the winter trail. During drilling
and testing, supply hauls along the
winter trail will be limited to every
third day, generally consisting of two
Pisten Bullys and two Steigers.
Mobilization would begin January 16,
2022, and demobilization would be
completed by April 29, 2022, with
equipment being staged at PTU West
Pad during the summer.
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Ice Road and Pad Construction
One ice road, 5.95 km (3.7 mi) long,
will be constructed south from the end
of the PTU gravel road system to JADE
#1—a 3.34-ha (8.26-ac) ice pad. A
secondary ice road, 4.1 km (2.55 mi)
long, will be constructed west from the
PTU gravel road system to JADE #2,
which will be similar in size to JADE #1.
Preparation for the construction of ice
roads and pads is set to occur from
December 15, 2021, to January 2, 2022,
and would involve two operators and
approximately 7 days of work.
Construction would proceed
immediately after this activity, with
eight operators working 12-hour day
shifts for approximately 8 days to be
completed by January 16, 2022.
Maintenance of roads and pads would
be required throughout the project and
would be conducted by five operators
working a day shift. Once drilling
begins, ice roads will have daily traffic
to shuttle crew to and from the pad(s)
via busses from Point Thomson with
approximately four trips per day.
Well Drilling and Cleanup
Drilling equipment will be mobilized
from PTU West Pad to JADE #1 starting
on January 16, 2022, and drilling will
begin January 29, 2022. If drilling
attempts are successful at JADE #1, the
drill rig and associated drilling
equipment will be moved to JADE #2 on
March 7, 2022. If drilling is conducted
at JADE #2, activities will begin
approximately on March 13, 2022, and
be completed on April 20, 2022.
Following drilling activities, JADE has
proposed to contract one helicopter in
early July to perform flyovers of the
project area to identify any debris that
may have been left behind during
winter operations. The cleanup crew
will inspect all camp locations and any
area where field activities occurred. All
cleanup work is to be completed by July
15, 2022. The area of cleanup will not
extend beyond the project area, and
during transit aircraft used are expected
to maintain 1,500 feet (ft) altitude above
ground level (AGL) to avoid
disturbance.
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Mitigation Measures
JADE will be working with EMAP to
perform two aerial infrared (AIR)
surveys. The first survey will be
conducted between November 25 and
December 15, and the second survey
will be conducted between December 5
and December 31. In addition to AIR
surveys, JADE will be using handheld
and vehicle-mounted forward-looking
infrared (FLIR) to locate maternal dens
along any major drainages on the winter
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trail, snow drifts greater than 5 ft in
height along the winter trail and ice
roads, snow piles around each pad, and
any other areas that may provide
suitable snow buildup for denning polar
bears. In the event a den is located,
JADE will maintain a 1.6-km (1-mi)
exclusion zone around the den, cease
nearby activities or reduce essential
activities, increase communication of
personnel, and continuously monitor
the den. Aircraft will be flown at a
minimum of 1,500 ft AGL and will not
land or take off if a bear is within 1.6
km (1 mi) of the landing/takeoff site.
Additionally, work is targeted to be
complete no later than July 18 prior to
open-water season, which marks an
increase in polar bear presence onshore.
Description of Marine Mammals in the
Specified Geographic Region
Polar bears comprise 19 stocks
ranging across 5 countries and 4
ecoregions that reflect the polar bear
dependency on sea-ice dynamics and
seasonality (Amstrup et al. 2008). Two
stocks occur in the United States
(Alaska) with ranges that extend to
adjacent countries: Canada (SBS stock)
and the Russia Federation (the Chukchi/
Bering Seas [CBS] stock). The SBS stock
is the only stock found in the specified
geographic region. Therefore, the
description below focuses on the SBS
stock and general polar bear biology and
behavior.
Polar Bear Biology
Polar bears are distributed throughout
the ice-covered seas and adjacent coasts
of the Arctic region. Polar bears
typically occur at low, uneven densities
throughout their circumpolar range
(DeMaster and Stirling 1981, Amstrup et
al. 2011, Hamilton and Derocher 2019)
in areas where the sea is ice-covered for
all or part of the year. They are typically
most abundant on sea ice, near polynyas
(i.e., areas of persistent open water) and
fractures in the ice, and over relatively
shallow continental shelf waters with
high marine productivity (Durner et al.
2004). This sea-ice habitat favors
foraging for their primary prey, ringed
seals (Pusa hispida), and other species
such as bearded seals (Erignathus
barbatus) (Thiemann et al. 2008, Cherry
et al. 2011, Stirling and Derocher 2012).
Polar bears prefer to remain on the sea
ice year-round throughout most of their
range; however, an increasing
proportion of stocks are spending
prolonged periods of time onshore
(Rode et al. 2015, Atwood et al. 2016).
While time spent on land occurs
primarily in late summer and autumn
(Rode et al. 2015, Atwood et al. 2016),
they may be found throughout the year
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61291
in the onshore and nearshore
environments. Polar bear distribution in
coastal habitats is often influenced by
the movement of seasonal sea ice
(Atwood et al. 2016, Wilson et al. 2017)
and its direct and indirect effects on
foraging success and, in the case of
pregnant females, also dependent on the
availability of suitable denning habitat
(Durner et al. 2006, Rode et al. 2015,
Atwood et al. 2016).
In 2008, the Service listed polar bears
as threatened under the Endangered
Species Act of 1973, as amended (16
U.S.C. 1531 et seq.; ESA), due to the loss
of sea-ice habitat caused by climate
change (73 FR 28212, May 15, 2008).
The Service later published a final rule
under section 4(d) of the ESA for the
polar bear providing measures that are
necessary and advisable for the
conservation of polar bears (78 FR
11766, February 20, 2013). The Service
designated critical habitat for polar bear
populations in the United States
effective January 6, 2011 (75 FR 76086,
December 7, 2010) identifying
geographic areas that contain features
that are essential for the conservation of
a threatened or endangered species and
that may require special management or
protection. Polar bear critical habitat
units include barrier island habitat, seaice habitat (both described in geographic
terms), and terrestrial denning habitat (a
functional determination). Barrier island
habitat includes coastal barrier islands
and spits along Alaska’s coast; it is used
for denning, refuge from human
disturbance, access to maternal dens
and feeding habitat, and travel along the
coast. Sea-ice habitat is located over the
continental shelf and includes water
300 meters (m) (∼984 ft) or less in depth.
Terrestrial denning habitat includes
lands within 32 km (∼20 mi) of the
northern coast of Alaska between the
Canadian border and the Kavik River
and within 8 km (∼5 mi) between the
Kavik River and Utqiag˙vik. The total
area designated under the ESA as
critical habitat covers approximately
484,734 km2 (∼187,157 mi2) and is
entirely within the lands and waters of
the United States. A digital copy of the
final rule designating critical habitat is
available at https://www.regulations.gov
in Docket No. FWS–R7–ES–2009–0042
or at: https://www.fws.gov/r7/fisheries/
mmm/polarbear/pdf/federal_register_
notice.pdf.
Polar Bear Stocks
The current total polar bear
population is estimated at
approximately 26,000 individuals (95
percent Confidence Interval (CI) =
22,000–31,000; Wiig et al. 2015, Regehr
et al. 2016) and comprises 19 stocks
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ranging across 5 countries and 4
ecoregions that reflect the polar bear
dependency on sea-ice dynamics and
seasonality (Amstrup et al. 2008). Two
stocks occur in the United States
(Alaska) with ranges that extend to
adjacent countries: Canada (the Russia
Federation (the Chukchi/Bering Seas
[CBS] stock). In Alaska, polar bears have
historically been observed as far south
in the Bering Sea as St. Matthew Island
and the Pribilof Islands (Ray 1971).
Management and conservation concerns
for the SBS and CBS polar bear stocks
include sea-ice loss due to climate
change, human-bear conflict, oil and gas
industry activity, oil spills and
contaminants, marine shipping, disease,
and the potential for overharvest
(USFWS 2016, Regehr et al. 2017). Most
notably, reductions in physical
condition, growth, and survival of polar
bears have been associated with
declines in sea ice (Regehr et al. 2007,
Rode et al. 2014, Bromaghin et al. 2015,
Lunn et al. 2016). The attrition of
summer Arctic sea ice is expected to
remain a primary threat to polar bear
populations (Amstrup et al. 2008,
Stirling and Derocher 2012), since
projections indicate continued climate
warming at least through the end of this
century (Intergovernmental Panel on
Climate Change (IPCC) 2014, Atwood et
al. 2016) (see Climate Change, below,
for further details). A detailed
description of the SBS polar bear stock
can be found in the Service’s revised
Polar Bear (Ursus maritimus) Stock
Assessment Report announced in the
Federal Register on June 24, 2021 (86
FR 28526). Digital copies of the revised
Stock Assessment Report are available
at: https://www.fws.gov/alaska/sites/
default/files/2021-06/
Southern%20Beaufort%20
Sea%20SAR%20Final_
May%2019rev.pdf.
Southern Beaufort Sea Stock
The SBS polar bear stock is shared
between Canada and Alaska. Radiotelemetry data, combined with eartag
returns from harvested bears, suggest
that the SBS stock occupies a region
with a western boundary near Icy Cape,
Alaska (Scharf et al. 2019), and an
eastern boundary near Tuktoyaktuk,
Northwest Territories, Canada (Durner
et al. 2018).
In 2020, the U.S. Geological Survey
(USGS) produced the most recent
population estimates for the Alaska
portion of the SBS stock (Atwood et al.
2020), which are based on markrecapture and collared bear data
collected from the SBS stock from 2001
to 2016. The SBS stock declined from
2003 to 2006 (this was also reported by
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Bromaghin et al. 2015) before stabilizing
from 2006 through 2015. Despite the
increase in size from 2009 to 2012, low
survival in 2013 appears to have offset
those gains. The number of bears in the
SBS stock is thought to have remained
constant since the Bromaghin et al.
(2015) estimate of 907 bears. This
number is also supported by survival
rate estimates provided by Atwood et al.
(2020) that were relatively high in 2001–
2003, decreased during 2004–2008, then
improved in 2009, and remained high
until 2015, except for much lower rates
in 2012.
In Alaska during the late summer/fall
period (July through November), polar
bears from the SBS stock often occur
along the coast and barrier islands,
which serve as travel corridors, resting
areas, and to some degree, foraging
areas. Based on oil and gas industry
(hereafter, ‘‘Industry’’) observations and
coastal survey data acquired by the
Service (Wilson et al. 2017), encounter
rates between humans and polar bears
are higher during mid-July to midNovember than in any other season. An
average of 140 polar bears may occur on
shore during any week during the
period July through November between
Utqiagvik and the Alaska-Canada border
(Wilson et al. 2017). The length of time
polar bears spend in these coastal
habitats has been linked to sea-ice
dynamics (Rode et al. 2015, Atwood et
al. 2016). The remains of subsistenceharvested bowhead whales (Balaena
mysticetus) at Cross and Barter islands
provide a readily available food
attractant in these areas (Schliebe et al.
2006). However, the contribution of
bowhead carcasses to the diet of SBS
polar bears varies annually (e.g.,
estimated as 11–26 percent and 0–14
percent in 2003 and 2004, respectively)
and by sex, likely depending on carcass
and seal availability as well as sea-ice
conditions (Bentzen et al. 2007).
Polar bears have no natural predators
(though cannibalism is known to occur;
Stirling et al. 1993). However, their lifehistory (e.g., late maturity, small litter
size, prolonged breeding interval) is
conducive to low intrinsic population
growth (i.e., growth in the absence of
human-caused mortality), which was
estimated at 6 percent to 7.5 percent for
the SBS stock during 2004–2006
(Hunter et al. 2010, Regehr et al. 2010).
The lifespan of wild polar bears is
approximately 25 years (Rode et al.
2020). Females reach sexual maturity at
3–6 years old giving birth 1 year later
(Ramsay and Stirling 1988). SBS stock
females typically give birth at 5 years
old (Stirling et al. 1976, Lentfer and
Hensel 1980). On average, SBS stock
females produce litter sizes of 1.9 cubs
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(SD=0.5; Smith et al. 2007, 2013;
Robinson 2014) at intervals that vary
from 1 to 3 or more years depending on
cub survival (Ramsay and Stirling 1988)
and foraging conditions. For example,
when foraging conditions are
unfavorable, polar bears may delay
reproduction in favor of survival
(Derocher et al. 1992, Eberhardt 2002).
The determining factor for polar bear
stock growth is adult female survival
(Eberhardt 1990). In general, rates above
90 percent are essential to sustain polar
bear stocks (Amstrup and Durner 1995)
given low cub litter survival, which was
estimated at 50 percent (90 percent CI:
33–67 percent) for the SBS stock during
2001–2006 (Regehr et al. 2010). In the
SBS, the probability that adult females
will survive and produce cubs-of-theyear is negatively correlated with icefree periods over the continental shelf
(Regehr et al. 2007). In general, survival
of cubs-of-the-year is positively related
to the weight of the mother and their
own weight (Derocher and Stirling
1996).
Female polar bears without
dependent cubs typically breed in the
spring (Amstrup 2003, Stirling et al.
2016). Pregnant females enter maternity
dens between October and December
(Durner et al. 2001, Amstrup 2003), and
young are usually born between early
December and early January (Van de
Velde et al. 2003). Only pregnant
females den for an extended period
during the winter (Rode et al. 2018).
Other polar bears may excavate
temporary dens to escape harsh winter
conditions; however, shelter denning is
rare for Alaskan polar bear stocks (Olson
et al. 2017). Maternal polar bear dens
occur on barrier islands (linear features
of low-elevation land adjacent to the
main coastline that are separated from
the mainland by bodies of water), river
bank drainages, and deltas (e.g., those
associated with the Colville and
Canning Rivers), much of the North
Slope coastal plain (in particular within
the 1002 Area, i.e., the land designated
in section 1002 of the Alaska National
Interest Lands Conservation Act and
that is part of the Arctic National
Wildlife Refuge in northeastern Alaska;
Amstrup 1993), and coastal bluffs that
occur at the interface of mainland and
marine habitat (Durner et al. 2006, 2013,
2020; Blank 2013; Wilson and Durner
2020).
Typically, SBS females denning on
land emerge from the den with their
cubs around mid-March (median
emergence: March 11, Rode et al. 2018,
USGS 2018) and commonly begin
weaning when cubs are approximately
2.3–2.5 years old (Ramsay and Stirling
1986, Arnould and Ramsay 1994,
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Amstrup 2003, Rode 2020). Cubs are
born blind, with limited fat reserves,
and are able to walk only after 60–70
days (Blix and Lentfer 1978, Kenny and
Bickel 2005). If a female leaves a den
during early denning (day of cub birth
to 60 days after cub birth), cub mortality
is likely to occur due to a variety of
factors, including susceptibility to cold
temperatures (Blix and Lentfer 1978,
Hansson and Thomassen 1983, Van de
Velde 2003), predation (Derocher and
Wiig 1999, Amstrup et al. 2006), and
mobility limitations (Lentfer 1975).
Therefore, it is thought that successful
denning, birthing, and rearing activities
require a relatively undisturbed
environment. A more detailed
description of the potential
consequences of disturbance to denning
females can be found below in Potential
Impacts of Specified Activities on
Marine Mammals: Effects to Denning
Bears. Radio and satellite telemetry
studies indicate that denning can occur
in multiyear pack ice and on land
(Durner et al. 2020). The proportion of
dens on land has increased along the
Alaska region (34.4 percent in 1985–
1995 to 55.2 percent in 2007–2013;
Olson et al. 2017) likely in response to
reductions in stable old ice, which is
defined as sea ice that has survived at
least one summer’s melt (Bowditch
2002), increases in unconsolidated ice,
and longer melt season (Fischbach et al.
2007, Olson et al. 2017). If sea-ice extent
in the Arctic continues to decrease and
the amount of unstable ice increases, a
greater proportion of polar bears may
seek to den on land (Durner et al. 2006,
Fischbach et al. 2007, Olson et al. 2017).
Climate Change
Global climate change will impact the
future of polar bear populations. As
atmospheric greenhouse gas
concentrations increase so will global
temperatures (Pierrehumbert 2011, IPCC
2014) with substantial implications for
the Arctic environment and its
inhabitants (Harwood et al. 2001,
Bellard et al. 2012, Scheffers et al. 2016,
Nunez et al. 2019). The Arctic has
warmed at twice the global rate (IPCC
2014), and long-term data sets show that
substantial reductions in both the extent
and thickness of Arctic sea-ice cover
have occurred over the past 40 years
(Meier et al. 2014, Frey et al. 2015).
Stroeve et al. (2012) estimated that,
since 1979, the minimum area of fall
Arctic sea ice declined by over 12
percent per decade through 2010.
Record low minimum areas of fall
Arctic sea-ice extent were recorded in
2002, 2005, 2007, and 2012. Further,
observations of sea ice in the Beaufort
Sea have shown a trend since 2004 of
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sea-ice breakup earlier in the year, reformation of sea ice later in the year,
and a greater proportion of first-year ice
in the ice cover (Galley et al. 2016). The
overall trend of decline of Arctic sea ice
is expected to continue for the
foreseeable future (Stroeve et al. 2007,
73 FR 28212, May 15, 2008, Amstrup et
al. 2008, Hunter et al. 2010, Overland
and Wang 2013, IPCC 2014). Decline in
Arctic sea ice affects Arctic species
through habitat loss and altered trophic
interactions. These factors may
contribute to population distribution
changes, population mixing, and
pathogen transmission (Post et al. 2013),
which further impact population health
of polar bears.
For polar bears, sea-ice habitat loss
due to climate change has been
identified as the primary cause of
conservation concern (e.g., Stirling and
Derocher 2012, Atwood et al. 2016,
USFWS 2016). A 42 percent loss of
optimal summer polar bear habitat
throughout the Arctic is projected for
the decade of 2045–2054 (Durner et al.
2009). A recent global assessment of the
vulnerability of the 19 polar bear stocks
to future climate warming ranked the
SBS as one of the three most vulnerable
stocks (Hamilton and Derocher 2019)).
The study, which examined factors such
as the size of the stock, continental shelf
area, ice conditions, and prey diversity,
attributed the high vulnerability of the
SBS stock primarily due to deterioration
of ice conditions. The SBS polar bear
stock occurs within the Polar Basin
Divergent Ecoregion (PBDE), which is
characterized by extensive sea-ice
formation during the winters and sea ice
melting and pulling away from the coast
during the summers (Amstrup et al.
2008). Projections show that polar bear
stocks within the PBDE may be
extirpated within the next 45–75 years
at current rates of sea-ice declines
(Amstrup et al. 2007, 2008). Atwood et
al. (2016) also predicted that polar bear
stocks within the PBDE will be more
likely to greatly decrease in abundance
and distribution as early as the 2020–
2030 decade, primarily as a result of
sea-ice habitat loss.
Sea-ice habitat loss affects the
distribution and habitat use patterns of
the SBS polar bear stock. When sea ice
melts during the summer, polar bears in
the PBDE may either move off the sea
ice onto land for the duration of the
summer or move with the sea ice as it
recedes northward (Durner et al. 2009).
The SBS stock, and to a lesser extent the
CBS stock, are increasingly utilizing
marginal habitat (i.e., land and ice over
less productive waters) (Ware et al.
2017). Polar bear use of Beaufort Sea
coastal areas has increased during the
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fall open-water period (June through
October). Specifically, the percentage of
radio-collared adult females from the
SBS stock utilizing terrestrial habitats
has tripled over 15 years, and SBS polar
bears arrive onshore earlier, stay longer,
and leave to the sea ice later (Atwood
et al. 2016). This change in polar bear
distribution and habitat use has been
correlated with diminished sea ice and
the increased distance of the pack ice
from the coast during the open-water
period (i.e., the less sea ice and the
farther from shore the leading edge of
the pack ice is, the more bears are
observed onshore) (Schliebe et al. 2006,
Atwood et al. 2016).
The current trend for sea ice in the
SBS region will result in increased
distances between the ice edge and
land, likely resulting in more bears
coming ashore during the open-water
period (Schliebe et al. 2008). More polar
bears on land for a longer period of time
may increase both the frequency and the
magnitude of polar bear exposure to
human activities, including an increase
in human–bear interactions (Towns et
al. 2009, Schliebe et al. 2008, Atwood et
al. 2016). Polar bears spending more
time in terrestrial habitats also increases
their risk of exposure to novel
pathogens that are expanding north as a
result of a warmer Arctic (Atwood et al.
2016, 2017). Heightened immune
system activity and more infections
(indicated by elevated number of white
blood cells) have been reported for the
SBS polar bears that summer on land
when compared to those on sea ice
(Atwood et al. 2017, Whiteman et al.
2019). The elevation in immune system
activity represents additional energetic
costs that could ultimately impact stock
and individual fitness (Atwood et al.
2017, Whiteman et al. 2019). Prevalence
of parasites, such as the nematode
Trichinella nativa, in many Arctic
species, including polar bears, pre-dates
the recent global warming. However,
parasite prevalence could increase as a
result of changes in diet (e.g., increased
reliance on conspecific scavenging) and
feeding habits (e.g., increased
consumption of seal muscle) associated
with climate-induced reduction of
hunting opportunities for polar bears
(Wilson et al. 2017, Penk et al. 2021).
The continued decline in sea ice is
also projected to reduce connectivity
among polar bear stocks and potentially
lead to the impoverishment of genetic
diversity that is key to maintaining
viable, resilient wildlife populations
(Derocher et al. 2004, Cherry et al. 2013,
Kutchera et al. 2016). The circumpolar
polar bear population has been divided
into six genetic clusters: The Western
Polar Basin (which includes the SBS
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and CBS stocks), the Eastern Polar
Basin, the Western and Eastern
Canadian Archipelago, and Norwegian
Bay (Malenfant et al. 2016). There is
moderate genetic structure among these
clusters, suggesting polar bears broadly
remain in the same cluster when
breeding. While there is currently no
evidence for strong directional gene
flow among the clusters (Malenfant et
al. 2016), migrants are not uncommon
and can contribute to gene flow across
clusters (Kutschera et al. 2016).
Changing sea-ice conditions will make
these cross-cluster migrations (and the
resulting gene flow) more difficult in the
future (Kutschera et al. 2016).
Additionally, habitat loss from
decreased sea-ice extent may impact
polar bear reproductive success by
reducing or altering suitable denning
habitat and extending the polar bear
fasting season (Stirling and Derocher
2012, Rode et al. 2018, Molna´r et al.
2020). Along the Alaskan region the
proportion of terrestrial dens increased
from 34.4 percent in 1985–1995 to 55.2
percent in 2007–2013 (Olson et al.
2017). Polar bears require a stable
substrate for denning. As sea-ice
conditions deteriorate and become less
stable, sea-ice dens can become
vulnerable to erosion from storm surges
(Fischbach et al. 2007). Under favorable
autumn snowfall conditions, SBS
females denning on land had higher
reproductive success than SBS females
denning on sea ice. Factors that may
influence the higher reproductive
success of females with land-based dens
include longer denning periods that
allow cubs more time to develop, higher
snowfall conditions that strengthen den
integrity throughout the denning period
(Rode et al. 2018), and increased
foraging opportunities on land (e.g.,
scavenging on Bowhead whale
carcasses) (Atwood et al. 2016). While
SBS polar bear females denning on land
may experience increased reproductive
success, at least under favorable
snowfall conditions, it is possible that
competition for suitable denning habitat
on land may increase due to more
female polar bears denning on shore as
a result of sea-ice decline (Fischbach et
al. 2007) and land-based dens may be
more vulnerable to disturbance from
human activities (Linnell et al. 2000).
Polar bear reproductive success,
throughout the Circumpolar Region,
may also be impacted by declines in sea
ice through an extended fasting season
(Molna´r et al. 2020). By 2100,
recruitment is predicted to become
jeopardized in nearly all polar bear
stocks if greenhouse gas emissions
remain uncurbed (RCP 8.5
[Representative Concentration Pathway
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8.5] scenario) as fasting thresholds are
increasingly exceeded due to declines in
sea ice across the Arctic circumpolar
range (Molna´r et al. 2020). As the fasting
season increases, most of these 19
stocks, including in the SBS stock, are
expected to first experience significant
adverse effects on cub recruitment
followed by effects on adult male
survival and lastly on adult female
survival (Molna´r et al. 2020). Without
mitigation of greenhouse gas emissions
and assuming optimistic polar bear
responses (e.g., reduced movement to
conserve energy), cub recruitment in the
SBS stock has possibly been already
adversely impacted since the late 1980s,
while detrimental impacts on male and
female survival are forecasted to
possibly occur in the late 2030s and
2040s, respectively.
Extended fasting seasons are
associated with poor body condition
(Stirling and Derocher 2012), and a
female’s body condition at den entry is
a critical factor that determines whether
the female will produce cubs and the
cubs’ chance of survival during their
first year (Rode et al. 2018).
Additionally, extended fasting seasons
will cause polar bears to depend more
heavily on their lipid reserves for
energy, which can release lipid-soluble
contaminants, such as persistent organic
pollutants and mercury, into the
bloodstream and organ tissues. The
increased levels of contaminants in the
blood and tissues can affect polar bear
health and body condition, which has
implications for reproductive success
and survival (Jenssen et al. 2015).
Changes in sea ice can impact polar
bears by altering trophic interactions.
Differences in sea-ice dynamics, such as
the timing of ice formation and breakup,
as well as changes in sea-ice type and
concentration, may impact the
distribution of polar bears and/or their
prey’s occurrence and reduce polar
bears’ access to prey. A climate-induced
reduction in overlap between female
polar bears and ringed seals was
detected after a sudden sea-ice decline
in Norway that limited the ability of
females to hunt on sea ice (Hamilton et
al. 2017). While polar bears are
opportunistic and hunt other species,
their reliance on ringed seals is
prevalent across their range (Thiemann
et al. 2007, 2008; Florko et al. 2020;
Rode et al. 2021). Male and female polar
bears exhibit differences in prey
consumption. Females typically
consume more ringed seals compared to
males, which is likely related to more
limited hunting opportunities for
females (e.g., prey size constraints)
(McKinney et al. 2017, Bourque et al.
2020). Female body condition has been
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positively correlated with consumption
of ringed seals, but negatively correlated
with the consumption of bearded seals
(Florko et al. 2020). Consequently,
females are more prone to decreased
foraging and reproductive success than
males during years in which
unfavorable sea-ice conditions limit
polar bears’ access to ringed seals
(Florko et al. 2020).
In the SBS stock, adult female and
juvenile polar bear consumption of
ringed seals was negatively correlated
with winter Arctic oscillation, which
affects sea-ice conditions (McKinney et
al. 2017). This trend was not observed
for male polar bears. Instead, male polar
bears consumed more bowhead whale
as a result of scavenging the carcasses of
subsistence-harvested bowhead whales
during years with a longer ice-free
period over the continental shelf. It is
possible that these alterations in sea-ice
conditions may limit female polar bears’
access to ringed seals, and male polar
bears may rely more heavily on
alternative onshore food resources in
the SBS region (McKinney et al. 2017).
Changes in the availability and
distribution of seals may influence polar
bear foraging efficiency. Reduction in
sea ice is expected to render polar bear
foraging energetically more demanding,
as moving through fragmented sea ice
and open-water swimming require more
energy than walking across consolidated
sea ice (Cherry et al. 2009, Pagano et al.
2012, Rode et al. 2014, Durner et al.
2017). Inefficient foraging can
contribute to nutritional stress and poor
body condition, which can have
implications for reproductive success
and survival (Regehr et al. 2010).
The decline in Arctic sea ice is
associated with the SBS polar bear stock
spending more time in terrestrial
habitats (Schliebe et al. 2008). Recent
changes in female denning habitat and
extended fasting seasons as a result of
sea-ice decline may affect the
reproductive success of the SBS polar
bear stock (Stirling and Derocher 2012,
Rode et al. 2018, Molna´r et al. 2020).
Other relevant factors that could
negatively affect the SBS polar bear
stock include changes in prey
availability, reduced genetic diversity
through limited population connectivity
and/or hybridization with other bear
species, increased exposure to disease
and parasite prevalence and/or
dissemination, impacts of human
activities (oil and gas exploration/
extraction, shipping, subsistence
harvest, etc.) and pollution (Post et al.
2013, Hamilton and Derocher 2019).
Based on the projections of sea-ice
decline in the Beaufort Sea region and
demonstrated impacts on SBS polar bear
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utilization of sea-ice and terrestrial
habitats, the Service anticipates that
polar bear use of the Beaufort Sea
coastal area will continue to increase
during the open-water season.
Potential Impacts of the Specified
Activities on Marine Mammals
Human-Polar Bear Encounters
Industry activities may affect polar
bears in numerous ways. SBS polar
bears are typically distributed in
offshore areas associated with multiyear
pack ice from mid-November to midJuly and can be found in large numbers
and high densities on barrier islands,
along the coastline, and in the nearshore
waters of the Beaufort Sea from mid-July
to mid-November. This distribution
leads to a significantly higher number of
human-polar bear encounters on land
and at offshore structures during the
open-water period (mid-July to midNovember) than at other times of the
year. Because the project is located
entirely on land, the remainder of this
discussion will focus on human-polar
bear encounters on land.
A majority of Industry’s on-land bear
observations occur within 2 km (1.2 mi)
of the coastline; however, the location
for these specified activities are
primarily located outside of the coastal
area. Encounters are more likely to
occur during the fall at facilities on or
near the coast. These facilities and
associated infrastructure may act as
physical barriers to polar bear
movements; however, polar bears have
frequently been observed crossing
existing roads. Polar bear interaction
plans, training, and monitoring have the
potential to reduce human-polar bear
encounters and the risks to bears and
humans when encounters occur. Polar
bear interaction plans detail the policies
and procedures that the associated
facilities and personnel will implement
to avoid attracting and interacting with
polar bears as well as minimizing
impacts to the bears. Interaction plans
also detail how to respond to the
presence of polar bears, the chain of
command and communication, and
required training for personnel.
The noises, sights, and smells
produced by the proposed project
activities could disturb and elicit
variable responses from polar bears.
Noise disturbance can originate from
either stationary or mobile sources.
Stationary sources include construction,
maintenance, repair and cleanup
activities, and drilling operations.
Mobile sources include aircraft traffic,
ice road construction, vehicle traffic,
tracked vehicles, and snowmobiles.
The potential behavioral reaction of
polar bears to the specified activities
can vary by activity type. Camp odors
may attract polar bears, potentially
resulting in human-bear encounters,
intentional hazing, or possible lethal
take in defense of human life. Noise
generated on the ground by industrial
activity may cause a behavioral (e.g.,
escape response) or physiologic (e.g.,
increased heart rate, hormonal response)
(Harms et al. 1997, Tempel and
Gutierrez 2003) response. The available
studies of polar bear behavior indicate
that the intensity of polar bear reaction
to noise disturbance may be based on
previous interactions, sex, age, and
maternal status (Dyck and Baydack
2004, Anderson and Aars 2008).
Effects of Aircraft Overflights on Polar
Bears
Bears near aircraft flight paths
experience increased noise and visual
stimuli, both have the potential to elicit
a biologically significant behavioral
response. Polar bears likely have acute
hearing with previous sensitivities
demonstrated between 1.4–22.5 kHz
(tests were limited to 22.5 kHz;
Nachtigall et al. 2007). This range,
which is wider than that seen in
humans, supports the idea that polar
bears may experience temporary (called
temporary threshold shift, or TTS) or
permanent (called permanent threshold
shift, or PTS) hearing impairment if they
are exposed to high-energy sound.
While species-specific TTS and PTS
thresholds have not been established for
polar bears, thresholds have been
established for the general group ‘‘other
marine carnivores,’’ which includes
polar bears (Southall et al. 2019).
Through a series of systematic modeling
procedures and extrapolations, Southall
et al. (2019) have generated modified
noise exposure thresholds for in-air
sound (table 1).
TABLE 1—TEMPORARY THRESHOLD SHIFT (TTS) AND PERMANENT THRESHOLD SHIFT (PTS) THRESHOLDS ESTABLISHED
BY SOUTHALL ET AL. (2019) THROUGH MODELING AND EXTRAPOLATION FOR ‘‘OTHER MARINE CARNIVORES,’’ WHICH
INCLUDES POLAR BEARS
[Values are weighted for other marine carnivores’ hearing thresholds and given in cumulative sound exposure level (SELCUM dB re (20μPa)2s in
air) for impulsive and non-impulsive sounds and unweighted peak sound pressure level in air (dB re 20μPa) (impulsive sounds only).]
TTS
Non-impulsive
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Non-impulsive
Impulsive
SELCUM
Peak SPL
SELCUM
SELCUM
Peak SPL
157
146
161
177
161
167
During a Federal Aviation
Administration test, test aircraft
produced sound at all frequencies
measured AGL (50 Hz to 10 kHz) (Healy
1974). At frequencies centered at 5 kHz,
jets flying at 300 m (984 ft) produced 1⁄3
octave band noise levels of 84 to 124 dB
AGL, propeller-driven aircraft produced
75 to 90 dB AGL, and helicopters
produced 60 to 70 dB AGL (Richardson
et al. 1995). Thus, the frequency and
level of airborne sounds typically
produced by the activities associated
with JADE’s Request is unlikely to cause
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temporary or permanent hearing
damage. Sound frequencies produced by
aircraft will likely fall within the
hearing range of polar bears (see
Nachtigall et al. 2007) and will thus be
audible to animals during flyovers or
when operating in proximity to polar
bears.
Although temporary or permanent
hearing damage is not anticipated,
impacts to bears near aircraft flight
paths have the potential to elicit
biologically significant behavioral
responses from polar bears.
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Observations of polar bears during fall
coastal surveys, which flew at much
lower altitudes than typical flights,
indicate that the reactions of nondenning polar bears are typically varied
but limited to short-term changes in
behavior ranging from no reaction to
running away. Polar bears associated
with dens have been shown to increase
vigilance, initiate rapid movement, and
even abandon dens when exposed to
low-flying aircraft. Aircraft activities
can impact polar bears over all seasons;
however, during the summer and fall
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seasons, aircraft have the potential to
disturb both individuals and
congregations of polar bears. These
onshore polar bears spend the majority
of their time resting and limiting their
movements on land. Exposure to
auditory and visual stimuli associated
with aircraft flight paths is likely to
result in changes in behavior, such as
going from resting to walking or
running, and, therefore, has the
potential to be energetically costly.
Mitigation measures, such as minimum
flight elevations over polar bears and
avoidance of frequently used habitat
areas as well as flight restrictions
around known polar bear aggregations,
will be required when safe, to achieve
least practicable adverse impact of the
likelihood that polar bears are disturbed
by aircraft.
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Effects to Denning Polar Bears
The Service monitors known polar
bear dens around the oilfield discovered
either opportunistically or during
planned surveys for tracking marked
polar bears and detecting polar bear
dens. However, these sites are only a
small percentage of the total active polar
bear dens for the SBS stock in any given
year. To identify any active polar bear
dens in the area, JADE has included in
the Request plans to conduct AIR
surveys in addition to using handheld
and vehicle-mounted FLIR. If a polar
bear den is located, activities are
required to avoid known polar bear dens
by 1.6 km (1 mi). When a previously
unknown den is discovered in
proximity to ongoing activities, JADE
will implement mitigation measures
such as the 1.6-km (1-mi) activity
exclusion zone around the den and 24hour monitoring of the site.
The responses of denning polar bears
to disturbance and the consequences of
these responses can vary throughout the
denning process. We divide the denning
period into four stages when
considering impacts of disturbance: Den
establishment, early denning, late
denning, and post-emergence;
definitions and descriptions are located
in the 2021–2026 Beaufort Sea ITR (86
FR 42982, August 5, 2021).
Effects of Industry Activities on Polar
Bear Prey
While some oil and gas activity on the
North Slope of Alaska may impact polar
bears indirectly by altering polar bears’
access to their prey, primarily ringed
seals and bearded seals, impacts from
the specified activities will not occur
offshore. Therefore, the specified
activities are not anticipated to have
effects on polar bear prey or their
availability to access prey.
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Estimated Take
Definitions of Incidental Take Under the
Marine Mammal Protection Act
Below we provide definitions of
potential types of take of polar bears.
The Service does not anticipate and is
not authorizing lethal take or Level A
harassment as a part of this proposed
incidental harassment authorization,
nor was it included in the Request;
however, the definitions of these take
types are provided for context and
background.
Lethal Take
Human activity may result in
biologically significant impacts to polar
bears. In the most serious interactions
(e.g., vehicle collision or running over
an unknown den causing its collapse),
human actions can result in polar bear
mortality. We also note that, while not
considered incidental, in situations
where there is an imminent threat to
human life, polar bears may be killed.
Additionally, though not considered
incidental, polar bears have been
accidentally killed during efforts to
deter polar bears from a work area for
safety and from direct chemical
exposure (81 FR 52276, August 5, 2016).
Unintentional disturbance of a female
polar bear by human activity during the
denning season may cause the female
either to abandon her den prematurely
with cubs or abandon her cubs in the
den before the cubs can survive on their
own. Either scenario may result in the
incidental lethal take of the cubs.
Level A Harassment
Human activity may result in the
injury of polar bears. Level A
harassment for nonmilitary readiness
activities is defined as any act of
pursuit, torment, or annoyance that has
the potential to injure a marine mammal
or marine mammal stock in the wild.
Numerous actions can cause take by
Level A harassment, such as creating an
annoyance that separates mothers from
dependent cubs (Amstrup 2003), results
in polar bear mothers leaving the den
early (Amstrup and Gardner 1994, Rode
et al. 2018), or interrupts the nursing or
resting of cubs.
Level B Harassment
Level B Harassment for nonmilitary
readiness activities means any act of
pursuit, torment, or annoyance that has
the potential to disturb a marine
mammal or marine mammal stock in the
wild by causing disruption of behaviors
or activities, including, but not limited
to, migration, breathing, nursing,
feeding, or sheltering. Human-caused
changes in behavior that disrupt
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biologically significant behaviors or
activities for the affected animal
indicate take by Level B harassment
under the MMPA. Such reactions
include, but are not limited to, the
following:
• Fleeing (running or swimming away
from a human or a human activity);
• Displaying a stress-related behavior
such as jaw or lip-popping, front leg
stomping, vocalizations, circling,
intense staring, or salivating;
• Abandoning or avoiding preferred
movement corridors such as ice floes,
leads, polynyas, a segment of coastline,
or barrier islands;
• Using a longer or more difficult
route of travel instead of the intended
path;
• Interrupting breeding, sheltering, or
feeding;
• Moving away at a fast pace (adult)
and cubs struggling to keep up;
• Ceasing to nurse or rest (cubs);
• Ceasing to rest repeatedly or for a
prolonged period (adults);
• Loss of hunting opportunity due to
disturbance of prey; or
• Any interruption in normal denning
behavior that does not cause injury, den
abandonment, or early departure of the
family group from the den site.
This list is not meant to encompass all
possible behaviors; other behavioral
responses may also be indicative of
Level B harassment. Relatively minor
changes in behavior such as increased
vigilance or a short-term change in
direction of travel are not likely to
disrupt biologically important
behavioral patterns, and the Service
does not view such minor changes in
behavior as indicative of Level B
harassment. It is also important to note
that reactions of greater duration,
frequency, or severity than
contemplated in the list above could
reflect take by Level A harassment.
Surface Interactions
Encounter Rate
Human-caused disturbances cannot
cause take if no polar bears are present
in the area of exposure. To quantify the
anticipated take associated with a given
activity, it is necessary to evaluate the
number of polar bears anticipated to be
present within the area of exposure. The
best available scientific evidence for
estimating polar bear prevalence near
areas of industrial activities on the
North Slope includes data concerning
human–polar bear encounters. The most
comprehensive dataset of human-polar
bear encounters along the coast of
Alaska consists of records of Industry
encounters during activities on the
North Slope submitted to the Service
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under existing and previous incidental
take regulations. This database is
referred to as the ‘‘LOA database’’
because it aggregates data reported by
the Industry to the Service pursuant to
the terms and conditions of Letters of
Authorization (LOA) issued under
current and previous incidental take
regulations (50 CFR part 18, subpart J).
We have used records in the LOA
database from the period 2014–2018, in
conjunction with polar bear density
projections for the entire coastline, to
generate quantitative encounter rates in
the project area. This 5-year period was
used to provide metrics that reflected
the most recent patterns of polar bear
habitat use within the Beaufort Sea
region. Each encounter record includes
the date and time of the encounter, a
general description of the encounter,
number of bears encountered, latitude
and longitude, weather variables, and
the Service’s take determination. If
latitude and longitude were not
supplied in the initial report, we
georeferenced the encounter using the
location description and a map of North
Slope infrastructure.
The histogram illustrates a steep
decline in human-polar bear encounters
at 2 km (1.2 mi) from shore. Using this
data, we divided the North Slope into
the ‘‘coastal zone,’’ which includes
offshore operations and up to 2 km (1.2
mi) inland, and the ‘‘inland zone,’’
which includes operations more than 2
km (1.2 mi) inland.
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Spatially Partitioning the North Slope
Into ‘‘coastal’’ and ‘‘inland’’ Zones
The vast majority of SBS polar bear
encounters along the Alaskan coast
occur along the shore or immediately
offshore (Atwood et al. 2015, Wilson et
al. 2017). Thus, encounter rates for
inland operations should be
significantly lower than those for
offshore or coastal operations. To
partition the North Slope into ‘‘coastal’’
and ‘‘inland’’ zones, we calculated the
distance to shore for all encounter
records in the period 2014–2018 in the
Service’s LOA database using a
shapefile of the coastline and the
dist2Line function found in the R
geosphere package (Geosphere Version
Dividing the Year Into Seasons
As we described in Polar Bear Biology
above, the majority of polar bears spend
the winter months on the sea ice,
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61297
1.5–10, https://cran.r-project.org/web/
packages/geosphere/,
accessed May 26, 2019). Linked
sightings of the same bear(s) were
removed from the analysis, and
individual records were created for each
bear encountered. However, because we
were able to identify and remove only
repeated sightings that were designated
as linked within the database, it is likely
that some repeated encounters of the
same bear remained in our analysis. Of
the 1,713 bears encountered from 2014
through 2018, 1,140 (66.5 percent) of the
bears were offshore. While these bears
were encountered offshore, the
encounters were reported by onshore or
island operations (i.e., docks, drilling
and production islands, or causeways).
We examined the distribution of bears
that were onshore and up to 10 km (6.2
mi) inland to determine the distance at
which encounters sharply decreased
(figure 2).
leading to few polar bear encounters on
the shore during this season. Many of
the specified activities are also seasonal,
and only occur either in the winter or
summer months. To develop an accurate
estimate of the number of polar bear
encounters that may result from the
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specified activities, we divided the year
into seasons of high bear activity and
low bear activity using the Service’s
LOA database. Below is a histogram of
all bear encounters from 2014 through
2018 by day of the year (Julian date).
Two clear seasons of polar bear
encounters can be seen: An ‘‘open-water
season’’ that begins in mid-July and
ends in mid-November, and an ‘‘ice
season’’ that begins in mid-November
and ends in mid-July. The 200th and
315th days of the year were used to
delineate these seasons when
calculating encounter rates (figure 3).
North Slope Encounter Rates
Industry encounter records maintained
in the Service’s LOA database. The
following formula was used to calculate
encounter rate (Equation 1):
anywhere within 2014–2018 and the
final LOA reports to determine the
projects that proceeded as planned and
those that were never completed.
Finally, we relied upon the institutional
knowledge of our staff, who have
worked with operators and inspected
facilities on the North Slope. To
determine the area around industrial
facilities in which a polar bear can be
seen and reported, we queried the
Service LOA database for records that
included the distance to an encountered
polar bear. It is important to note that
these values may represent the closest
distance a bear came to the observer or
the distance at initial contact. Therefore,
in some cases, the bear may have been
initially encountered farther than the
distance recorded. The histogram of
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Encounter rates in bears/season/km2
were calculated using a subset of the
The subset consisted of encounters in
areas that were constantly occupied
year-round to prevent artificially
inflating the denominator of the
equation and negatively biasing the
encounter rate. To identify constantly
occupied North Slope locations, we
gathered data from several sources. We
used past LOA applications to find
descriptions of projects that occurred
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these values shows a drop in the
distance at which a polar bear is
encountered at roughly 1.6 km (1 mi)
(figure 4).
Using this information, we buffered
the 24-hour occupancy locations listed
above by 1.6 km (1 mi) and calculated
an overall search area for both the
coastal and inland zones. The coastal
and inland occupancy buffer shapefiles
were then used to select encounter
records that were associated with 24hour occupancy locations, resulting in
the number of bears encountered per
61299
zone. These numbers were then
separated into open-water and ice
seasons (table 2).
TABLE 2—SUMMARY OF ENCOUNTERS OF POLAR BEARS ON THE NORTH SLOPE OF ALASKA IN THE PERIOD 2014–2018
WITHIN 1.6 KM (1 MI) OF THE 24-HOUR OCCUPANCY LOCATIONS AND SUBSEQUENT ENCOUNTER RATES FOR COASTAL (A) AND INLAND (B) ZONES
Ice season encounters
(A) Coastal Zone (Area = 133 km2):
2014 ............................................................
2015 ............................................................
2016 ............................................................
2017 ............................................................
2018 ............................................................
Average .......................................................
Seasonal Encounter Rate ....................
(B) Inland Zone (Area = 267 km2):
2014 ............................................................
2015 ............................................................
2016 ............................................................
2017 ............................................................
2018 ............................................................
Average .......................................................
Seasonal Encounter Rate ....................
Harassment Rate
The Level B harassment rate or the
probability that an encountered bear
will experience Level B harassment was
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Open-water season encounters
2 .......................................................................
8 .......................................................................
4 .......................................................................
7 .......................................................................
13 .....................................................................
6.8 ....................................................................
0.05 bears/km2 .................................................
193.
49.
227.
313.
205.
197.4
1.48 bears/km2.
3 .......................................................................
0 .......................................................................
0 .......................................................................
3 .......................................................................
0 .......................................................................
1.2 ....................................................................
0.004 bears/km2 ...............................................
3.
0.
2.
0.
2.
1.4.
0.005 bears/km2.
calculated using the 2014–2018 dataset
from the LOA database. A binary
logistic regression of harassment
regressed upon distance to shore was
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not significant (p=0.65), supporting the
use of a single harassment rate for both
the coastal and inland zones. However,
a binary logistic regression of
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harassment regressed upon day of the
year was significant. This significance
held when encounters were binned into
either ice or open-water seasons (p
<0.0015).
We subsequently estimated the
harassment rate for each season with a
Bayesian probit regression with season
as a fixed effect (Hooten and Hefley
2019). Model parameters were estimated
using 10,000 iterations of a Markov
chain Monte Carlo algorithm composed
of Gibbs updates implemented in R (R
core team 2021, Hooten and Hefley
2019). We used Normal (0,1) priors,
which are uninformative on the prior
predictive scale (Hobbs and Hooten
2015), to generate the distribution of
open-water and ice-season marginal
posterior predictive probabilities of
harassment. The upper 99 percent
quantile of each probability distribution
can be interpreted as the upper limit of
the potential harassment rate supported
by our dataset (i.e., there is a 99 percent
chance that given the data the
harassment rate is lower than this
value). We chose to use 99 percent
quantiles of the probability distributions
to account for any negative bias that has
been introduced into the dataset
through unobserved harassment or
variability in the interpretation of polar
bear behavioral reactions by multiple
observers. The final harassment rates
were 0.19 during the open-water season
and 0.37 during the ice season (figure 5).
Impact Area
reactions of males, females with cubs, or
females without cubs. During the
Service’s coastal aerial surveys, 99
percent of polar bears that responded in
a way that indicated possible Level B
harassment (polar bears that were
running when detected or began to run
or swim in response to the aircraft) did
so within 1.6 km (1 mi), as measured
from the ninetieth percentile horizontal
detection distance from the flight line.
Similarly, Andersen and Aars (2008)
found that female polar bears with cubs
(the most conservative group observed)
began to walk or run away from
approaching snowmobiles at a mean
distance of 1,534 m (0.95 mi). Thus,
while future research into the reaction
of polar bears to anthropogenic
disturbance may indicate a different
zone of potential impact is appropriate,
the current literature suggests 1.6 km
(1.0 mi) will likely encompass the
majority of polar bear harassment
events.
As noted above, we have calculated
encounter rates depending on the
distance from shore and season and take
rates depending on season. To properly
assess the area of potential impact from
the project activities, we must calculate
the area affected by project activities to
such a degree that harassment is
possible. This is sometimes referred to
as a zone or area of influence.
Behavioral response rates of polar bears
to disturbances are highly variable, and
data to support the relationship between
distance to bears and disturbance is
limited. Dyck and Baydack (2004) found
sex-based differences in the frequencies
of vigilant bouts of polar bears in the
presence of vehicles on the tundra.
However, in their summary of polar bear
behavioral response to ice-breaking
vessels in the Chukchi Sea, Smultea et
al. (2016) found no difference between
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Correction Factor
While the locations that were used to
calculate encounter rates are thought to
have constant human occupancy, it is
possible that bears may be in the
vicinity of industrial infrastructure and
not be noticed by humans. These
unnoticed bears may also experience
Level B harassment. To determine
whether our calculated encounter rate
should be corrected for unnoticed bears,
we compared our encounter rates to
Wilson et al.’s (2017) weekly average
polar bear estimates along the northern
coast of Alaska and the South Beaufort
Sea.
Wilson et al.’s weekly average
estimate of polar bears across the coast
was informed by Service-conducted
aerial surveys in the period 2000–2014
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and supplemented by daily counts of
polar bears in three high-density barrier
islands (Cross, Barter, and Cooper
Islands). Using a Bayesian hierarchical
model, the authors estimated 140 polar
bears would be along the coastline each
week between the months of August and
October. These estimates were further
partitioned into 10 equally sized grids
along the coast. Grids 4–7 overlap the
SBS area, including the PBU and PTU
in which the specified activities are
proposed to occur. Grid 6 was estimated
to account for 25 percent of the weekly
bear estimate (35 bears); however, 25
percent of the bears in grid 6 were
located on Cross Island. Grids 5 and 7
were estimated to contain 7 bears each,
weekly. Using raw aerial survey data,
we calculated the number of bears per
km of surveyed mainland and number
of bears per km of surveyed barrier
islands for each Service aerial survey
from 2010 through 2014 to determine
the proportion of bears on barrier
islands versus the mainland. On
average, 1.7 percent, 7.2 percent, and 14
percent of bears were sighted on the
mainland in grids 5, 6, and 7,
respectively.
While linked encounter records in the
LOA database were removed in earlier
formatting, it is possible that a single
bear may be the focus of multiple
encounter records, particularly if the
bear moves between facilities operated
by different entities. To minimize
repeated sightings, we designated a
single industrial infrastructure location
in each grid: Oliktok Point in grid 5,
West Beach in grid 6, and Point
Thomson’s central pad in grid 7. These
locations were determined in earlier
analyses to have constant 24-hour
occupancy; thus, if a polar bear were
within the viewing area of these
facilities, it must be reported as a
condition of each entity’s LOA.
Polygons of each facility were
buffered by 1.6 km (1 mi) to account for
the industrial viewing area (see above)
and then clipped by a 400-m (0.25-mi)
buffer around the shoreline to account
for the area in which observers were
able to reliably detect polar bears in the
Service’s aerial surveys (i.e., the specific
area to which the Wilson et al.’s model
predictions applied). Industrial
encounters within this area were used to
generate the average weekly number of
polar bears from August through
October. Finally, we divided these
numbers by area to generate average
weekly bears/km2 and multiplied this
number by the total coastal Service
aerial survey area. The results are
summarized in table 3.
TABLE 3—COMPARISON OF POLAR BEAR ENCOUNTERS TO NUMBER OF POLAR BEARS PROJECTED BY WILSON ET AL.
2017 AT DESIGNATED POINT LOCATIONS ON THE COAST OF THE NORTH SLOPE OF ALASKA
Grid 5
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Total coastline viewing area (km2) ..............................................................................................
Industry viewing area (km2) .........................................................................................................
Proportion of coastline area viewed by point location ................................................................
Average number of bears encountered August–October at point location .................................
Number of weeks in analysis ......................................................................................................
Average weekly number of bears reported at point location ......................................................
Average weekly number of bears projected in grid ....................................................................
Average weekly number of bears projected for point location ....................................................
These comparisons show a greater
number of industrial sightings than
would be estimated by the Wilson et al.
2017 model. There are several potential
explanations for higher industrial
encounters than projected by model
results. Polar bears may be attracted to
industrial infrastructure, the encounters
documented may be multiple sightings
of the same bear, or specifically for the
Point Thomson location, higher
numbers of polar bears may be
travelling past the pad to the Kaktovik
whale carcass piles. However, because
the number of polar bears estimated
within the point locations is lower than
the average number of industrial
sightings, these findings cannot be used
to create a correction factor for
industrial encounter rate. To date, the
data needed to create such a correction
factor (i.e., spatially explicit polar bear
densities across the North Slope) have
not been generated.
Estimated Harassment
We estimated Level B harassment
using the spatio-temporally specific
encounter rates and temporally specific
take rates derived above in conjunction
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34
0.31
0.009
3.2
13
0.246
7
0.064
with JADE supplied spatially and
temporally specific data. Table 4
provides the definition for each variable
used in the take formulas.
45
0.49
0.011
4.6
13
0.354
26
0.283
Grid 7
33.4
1.0
0.030
28.8
13
2.215
7
0.210
square kilometer per season (see North
Slope Encounter Rates above). As a part
of their Request, JADE provided the
Service with digital geospatial files and
crew shift information that was used to
TABLE 4—DEFINITIONS OF VARIABLES determine the maximum expected
USED IN TAKE ESTIMATES OF POLAR human occupancy (i.e., rate of
BEARS ON THE COAST OF THE occupancy (ro)) for each phase of the
project (e.g., construction of ice roads,
NORTH SLOPE OF ALASKA
construction of ice pads, ice road
maintenance, drilling, etc.). Using the
Variable
Definition
buffer tool in ArcGIS, we created a
Bes ........... bears encountered in an area of spatial file of a 1.6-km (1-mi) buffer
interest for the entire season.
around all proposed structures. The
ac ............. coastal exposure area.
areas of impact were then clipped by
ai .............. inland exposure area.
coastal and inland zone shapefiles to
ro .............. occupancy rate.
determine the coastal areas of impact
eci ............. coastal ice season bear-encoun(ac) and inland areas of impact (ai) for
ter rate in bears/season.
eii ............. inland ice season bear-encoun- each activity category. We then used
spatial files of the coastal and inland
ter rate in bears/season.
zones to determine the area in coastal
ti ............... ice season harassment rate.
Bt .............. number of estimated Level B versus inland zones for each occupancy
harassment events.
percentage.
Impact areas were multiplied by the
The variables defined above were
appropriate encounter rate to obtain the
used in a series of formulas to
number of bears expected to be
ultimately estimate the total harassment encountered in an area of interest per
from surface-level interactions.
season (Bes). The equation below
Encounter rates were originally
(Equation 2) provides an example of the
calculated as bears encountered per
calculation of bears encountered in the
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ice season for an area of interest in the
coastal zone.
To generate the number of estimated
Level B harassments for each area of
interest, we multiplied the number of
bears in the area of interest per season
by the proportion of the season the area
is occupied, the rate of occupancy, and
the harassment rate (Equation 3).
Aircraft Activities
Aircraft activities are proposed to take
place only during cleanup activities
lasting early- to mid-July. The proposed
aircraft activity would be spatially
limited, occur prior to the start of the
open-water season (July 19), and be
subject to mitigation measures proposed
by JADE. Analyses of previous projects
of a similar nature and location, but
larger extents, estimated polar bear takes
by harassment to be less than 0.0003
polar bears. Given this information, the
Service has determined that impacts
would be negligible and further analysis
is not warranted.
responses of denning polar bears to
activities proposed in JADE’s Request,
we characterized, evaluated, and
prioritized a series of rules and
definitions towards a predictive model
based on knowledge of published and
unpublished information on polar bear
denning ecology, behavior, and cub
survival. Contributing information came
from literature searches in several major
research databases and data compiled
from polar bear observations submitted
by the Industry. We considered all
available scientific and observational
data we could find on polar bear
denning behavior and effects of
disturbance.
From these sources, we identified 57
case studies representing instances
where polar bears at a maternal den may
have been exposed to human activities.
For each den, we considered the four
denning periods separately, and for each
period, determined whether adequate
information existed to document
whether (1) the human activity met our
definition of an exposure and (2) the
response of the polar bear(s) could be
classified according to our rules and
definitions. From these 57 dens, 80
denning period-specific events met
these criteria. For each event, we
classified the type and frequency (i.e.,
discrete or repeated) of the exposure,
the response of the polar bear(s), and the
level of take associated with that
response. From this information, we
calculated the probability that a discrete
or repeated exposure would result in
each possible level of take during each
denning period, which informed the
probabilities for outcomes in the
simulation model (table 5).
Methods for Modeling the Effects of Den
Disturbance
Case Studies Analysis
To assess the likelihood and degree of
exposure and predict probable
Period
Discrete ................
Den Establishment ............................
Early Denning ....................................
Late Denning .....................................
Post-emergence ................................
Den Establishment ............................
Early Denning ....................................
Late Denning .....................................
Post-emergence ................................
Repeated .............
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0.400
1.000
0.091
0.000
1.000
0.800
0.708
0.000
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Non-serious
Level A
0.600
0.000
0.000
0.000
0.000
0.000
0.000
0.267
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NA
NA
NA
0.750
NA
NA
NA
0.733
05NON1
Serious
Level A
NA
NA
0.909
NA
NA
NA
0.292
NA
Lethal
NA
0.000
0.000
0.250
NA
0.200
0.000
0.000
EN05NO21.046
Exposure type
EN05NO21.045
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TABLE 5—PROBABILITY FOR EACH POSSIBLE LEVEL OF TAKE BASED ON THE 57 CASE STUDIES FROM A DISCRETE OR
REPEATED EXPOSURE DURING EACH DENNING PERIOD
Federal Register / Vol. 86, No. 212 / Friday, November 5, 2021 / Notices
Case Study Analysis Definitions
Below, we provide definitions for
terms used in this analysis, a general
overview of denning chronology and
periods (details are provided in the
Potential Impacts of Specified Activities
on Marine Mammals: Effects to Denning
Polar Bears), and the rules established
for using the case studies to inform the
model.
Exposure and Response Definitions
Exposure: Any human activity within
1.6 km (1 mi) of a polar bear den site.
In the case of aircraft, an overflight
within 457 m (0.3 mi) above ground
level.
Discrete exposure: An exposure that
occurs only once and of short duration
(<30 minutes). It can also be a shortduration exposure that happens
repeatedly but that is separated by
sufficient time that exposures can be
treated as independent (e.g., aerial
pipeline surveys that occur weekly).
Repeated exposure: An exposure that
occurs more than once within a time
period where exposures cannot be
considered independent or an exposure
that occurs due to continuous activity
during a period of time (e.g., traffic
along a road, or daily visits to a well
pad).
Response probability: The probability
that an exposure resulted in a response
by denning polar bears.
We categorized each exposure into
categories based on polar bear response:
• No response: No observed or
presumed behavioral or physiological
response to an exposure.
• Likely physiological response: An
alteration in the normal physiological
function of a polar bear (e.g., elevated
heart rate or stress hormone levels) that
is typically unobservable but is likely to
occur in response to an exposure.
• Behavioral response: A change in
behavior in response to an exposure.
Behavioral responses can range from
biologically insignificant (e.g., a resting
bear raising its head in response to a
vehicle driving along a road) to
substantial (e.g., cub abandonment) and
concomitant levels of take vary
accordingly.
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Timing Definitions
Entrance date: The date a female first
enters a maternal den after excavation is
complete.
Emergence date: The date a maternal
den is first opened and a bear is exposed
directly to external conditions.
Although a bear may exit the den
completely at emergence, we considered
even partial-body exits (e.g., only a
bear’s head protruding above the surface
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of the snow) to represent emergence in
order to maintain consistency with
dates derived from temperature sensors
on collared bears (e.g., Rode et al. 2018).
For dens located near regularly
occurring human activity, we
considered the first day a bear was
observed near a den to be the emergence
date unless other data were available to
inform emergence dates (e.g., GPS collar
data).
Departure date: The date when bears
leave the den site to return to the sea
ice. If a bear leaves the den site after a
disturbance but later returns, we
considered the initial movement to be
the departure date.
Definition of Various Denning Periods
Den establishment period: Period of
time between the start of maternal den
excavation and the birth of cubs. Unless
evidence indicates otherwise, all dens
that are excavated by adult females in
the fall or winter are presumed to be
maternal dens. In the absence of other
information, this period is defined as
denning activity prior to December 1
(i.e., estimated earliest date cubs are
likely present in dens (Derocher et al.
1992, Van de Velde et al. 2003)).
Early denning period: Period of time
from the birth of cubs until they reach
60 days of age and are capable of
surviving outside the den. In the
absence of other information, this
period is defined as any denning
activity occurring between December 1
and February 13 (i.e., 60 days after
December 15 the estimated average date
of cub birth; Messier et al. 1994, Van de
Velde et al. 2003).
Late denning period: Period of time
between when cubs reach 60 days of age
and den emergence. In the absence of
other information, this period is defined
as any denning activity occurring
between February14 and den
emergence.
Post-emergence period: Period of time
between den emergence and den site
departure. We considered a ‘‘normal’’
duration at the den site between
emergence and departure to be greater
than or equal to 8 days and classified
departures that occurred post emergence
‘‘early’’ if they occurred less than 8 days
after emergence.
Descriptions of Potential Outcomes
Cub abandonment: Occurs when a
female leaves all or part of her litter,
either in the den or on the surface, at
any stage of the denning process. We
classified events where a female left her
cubs but later returned (or was returned
by humans) as cub abandonment.
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Early emergence: Den emergence that
occurs as the result of an exposure (see
‘Rules’ below).
Early departure: Departure from the
den site post-emergence that occurs as
the result of an exposure (see ‘Rules’
below).
Predictive Model Rules for Determining
Den Outcomes and Assigning Take
• We considered any exposure in a
24-hour period that did not result in a
Level A harassment or lethal take to
potentially be a Level B harassment if a
behavioral response was observed.
However, multiple exposures do not
result in multiple Level B harassments
unless the exposures occurred in two
different denning periods.
• If comprehensive dates of specific
exposures are not available and daily
exposures were possible (e.g., the den
was located within 1.6 km [1 mi] of an
ice road), we assumed exposures
occurred daily.
• In the event of an exposure that
resulted in a disturbance to denning
bears, take was assigned for each bear
(i.e., female and each cub) associated
with that den. Whereas assigned take for
cubs could range from Level B
harassment to lethal take, for adult
females only Level B harassment was
possible.
• In the absence of additional
information, we assumed dens did not
contain cubs prior to December 1, but
did contain cubs on or after December
1.
• If an exposure occurred and the
adult female subsequently abandoned
her cubs, we assigned a lethal take for
each cub.
• If an exposure occurred during the
early denning period and bears emerged
from the den before cubs reached 60
days of age, we assigned a lethal take for
each cub. In the absence of information
about cub age, a den emergence that
occurred between December 1 and
February 13 was considered to be an
early emergence and resulted in a lethal
take of each cub.
• If an exposure occurred during the
late denning period (i.e., after cubs
reached 60 days of age) and bears
emerged from the den before their
intended (i.e., undisturbed) emergence
date, we assigned a serious injury Level
A harassment take for each cub. In the
absence of information about cub age
and intended emergence date (which
was known only for simulated dens),
den emergences that occurred between
(and including) February 14 and March
14 were considered to be early
emergences and resulted in a nonserious-injury Level A harassment take
of each cub. If a den emergence
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occurred after March 14 but was clearly
linked to an exposure (e.g., bear
observed emerging from the den when
activity initiated near the den), we
considered the emergence to be early
and resulted in a serious-injury Level A
harassment take of each cub.
• For dens where emergence was not
classified as early, if an exposure
occurred during the post-emergence
period and bears departed the den site
prior to their intended (i.e.,
undisturbed) departure date, we
assigned a non-serious-injury Level A
harassment take for each cub. In the
absence of information about the
intended departure date (which was
known only for simulated dens), den
site departures that occurred less than 8
days after the emergence date were
considered to be early departures and
resulted in a non-serious-injury Level A
harassment take of each cub.
Den Simulation
We simulated dens across the entire
North Slope of Alaska, ranging from the
areas identified as denning habitat
(Durner et al. 2006, 2013; Blank 2013)
contained within the National
Petroleum Reserve–Alaska (NPRA) in
the west to the Canadian border in the
east. While JADE’s Request does not
include activity inside the Arctic
Refuge, we still simulated dens in that
area to ensure that any activities directly
adjacent to the refuge that might impact
denning bears inside the refuge would
be captured. To simulate dens on the
landscape, we relied on the estimated
number of dens in three different
regions of northern Alaska provided by
Atwood et al. (2020). These included
the NPRA, the area between the Colville
and Canning Rivers (CC), and Arctic
Refuge. The mean estimated number of
dens in each region during a given
winter were as follows: 12 dens (95
percent CI: 3–26) in the NPRA, 26 dens
(95 percent CI: 11–48) in the CC region,
and 14 dens (95 percent CI: 5–30) in the
Arctic Refuge (Atwood et al. 2020). For
each iteration of the model (described
below), we drew a random sample from
a gamma distribution for each of the
regions based on the above parameter
estimates, which allowed uncertainty in
the number of dens in each area to be
propagated through the modeling
process. Specifically, we used the
method of moments (Hobbs and Hooten
2015) to develop the shape and rate
parameters for the gamma distributions
as follows: NPRA (122/5.82, 12/5.82),
CC (262/9.52, 26/9.52), and Arctic
Refuge (142/6.32, 14/6.32).
Because not all areas in northern
Alaska are equally used for denning and
some areas do not contain the requisite
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topographic attributes required for
sufficient snow accumulation for den
excavation, we did not randomly place
dens on the landscape. Instead, we
followed a similar approach to that used
by Wilson and Durner (2020) with some
additional modifications to account for
differences in denning ecology in the CC
region related to a preference to den on
barrier islands and a general (but not
complete) avoidance of actively used
industrial infrastructure. Using the
USGS polar bear den catalogue (Durner
et al. 2020), we identified polar bear
dens that occurred on land in the CC
region and that were identified either by
GPS-collared bears or through
systematic surveys for denning bears
(Durner et al. 2020). This resulted in a
sample of 37 dens of which 22 (i.e., 60
percent) occurred on barrier islands. For
each iteration of the model, we then
determined how many of the estimated
dens in the CC region occurred on
barrier islands versus the mainland.
To accomplish this, we first took a
random sample from a binomial
distribution to determine the expected
number of dens from the den catalog
(Durner et al. 2020) that should occur on
barrier islands in the CC region during
that given model iteration;
nbarrier=Binomial(37, 22/37), where 37
represents the total number of dens in
the den catalogue (Durner et al. 2020) in
the CC region suitable for use (as
described above) and 22/37 represents
the observed proportion of dens in the
CC region that occurred on barrier
islands. We then divided nbarrier by the
total number of dens in the CC region
suitable for use (i.e., 37) to determine
the proportion of dens in the CC region
that should occur on barrier islands (i.e.,
pbarrier). We then multiplied pbarrier with
the simulated number of dens in the CC
region (rounded to the nearest whole
number) to determine how many dens
were simulated to occur on barrier
islands in the region.
In the NPRA, the den catalogue
(Durner et al. 2020) data indicated that
two dens occurred outside of defined
denning habitat (Durner et al. 2013), so
we took a similar approach as with the
barrier islands to estimate how many
dens occur in areas of the NPRA with
the den habitat layer during each
iteration of the model;
nhabitat∼Binomial(15, 13/15), where 15
represents the total number of dens in
NPRA from the den catalogue (Durner et
al. 2020) suitable for use (as described
above), and 13/15 represents the
observed proportion of dens in NPRA
that occurred in the region with den
habitat coverage (Durner et al. 2013). We
then divided nhabitat by the total number
of dens in NPRA from the den catalogue
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(i.e., 15) to determine proportion of dens
in the NPRA region that occurred in the
region of the den habitat layer (phabitat).
We then multiplied phabitat with the
simulated number of dens in NPRA
(rounded to the nearest whole number)
to determine the number of dens in
NPRA that occurred in the region with
the den habitat layer. Because no
infrastructure exists and no activities
are proposed to occur in the area of
NPRA without the den habitat layer, we
only considered the potential impacts of
activity to those dens simulated to occur
in the region with denning habitat
identified (Durner et al. 2013).
To account for the potential influence
of industrial activities and infrastructure
on the distribution of polar bear
selection of den sites, we again relied on
the subset of dens from the den
catalogue (Durner et al. 2020) discussed
above. We further restricted the dens to
only those occurring on the mainland
because no permanent infrastructure
occurred on barrier islands with
identified denning habitat (Durner et al.
2006). We then determined the
minimum distance to permanent
infrastructure that was present when the
den was identified. This led to an
estimate of a mean minimum distance of
dens to infrastructure being 21.59 km
(SD=16.82). From these values, we then
parameterized a gamma distribution:
Gamma (21.592/16.822, 21.59/16.822).
We then obtained 100,000 samples from
this distribution and created a
discretized distribution of distances
between dens and infrastructure. We
created 2.5-km intervals between 0 and
45 km, and one bin for areas greater
than 45 km from infrastructure and
determined the number of samples that
occurred within each distance bin. We
then divided the number of samples in
each bin by the total number of samples
to determine the probability of a
simulated den occurring in a given
distance bin. The choice of 2.5 km for
distance bins was based on a need to
ensure that kernel density grid cells
occurred in each distance bin.
To inform where dens are most likely
to occur on the landscape, we
developed a kernel density map by
using known den locations in northern
Alaska identified either by GPS-collared
bears or through systematic surveys for
denning bears (Durner et al. 2020). To
approximate the distribution of dens,
we used an adaptive kernel density
estimator (Terrell and Scott 1992)
applied to
nn
observed den locations, which took the
form
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onto the mainland, which was deemed
to be biologically unrealistic given the
clear differences in den density between
the barrier islands and the mainland in
the region. We restricted the distance to
infrastructure component to only the CC
region because it is the region that
contains the vast majority of oil and gas
infrastructure and has had some form of
permanent industrial infrastructure
present for more than 50 years.
To simulate dens on the landscape,
we first sampled in which kernel grid
cell a den would occur based on the
underlying relative probability (figure 6)
within a given region using a
multinomial distribution. Once a cell
was selected, the simulated den was
randomly placed on the denning habitat
(Durner et al. 2006, 2013; Blank 2013)
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located within that grid cell. For dens
being simulated on mainland in the CC
region, an additional step was required.
We first assigned a simulated den a
distance bin using a multinomial
distribution of probabilities of being
located in a given distance bin based on
the discretized distribution of distances
described above. Based on the distance
to infrastructure bin assigned to a
simulated den, we subset the kernel
density grid cells that occurred in the
same distance bin and then selected a
grid cell from that subset based on their
underlying probabilities using a
multinomial distribution. Then, similar
to other locations, a den was randomly
placed on denning habitat within that
grid cell.
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were chosen based on visual assessment
so that the density estimate
approximated the observed density of
dens and our understanding of likely
den locations in areas with low
sampling effort.
The kernel density map we used for
this analysis differs slightly from the
version used in previous analyses,
specifically our differentiation of barrier
islands from mainland habitat. We used
this modified version because previous
analyses did not require us to consider
denning habitat in the CC region, which
has a significant amount of denning that
occurs on barrier islands compared to
the other two regions. If barrier islands
were not differentiated for the kernel
density estimate, density from the
barrier island dens would spill over
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For each simulated den, we assigned
dates of key denning events: Den
entrance, birth of cubs, when cubs
reached 60 days of age, den emergence,
and departure from the den site after
emergence. These represent the
chronology of each den under
undisturbed conditions. We selected the
entrance date for each den from a
normal distribution parameterized by
entrance dates of radio-collared bears in
the SBS subpopulation that denned on
land included in Rode et al. (2018) and
published in USGS (2018; n=52,
mean=11 November, SD=18 days).
These data were restricted to those dens
with both an entrance and emergence
date identified and where a bear was in
the den for greater than or equal to 60
days to reduce the chances of including
non-maternal bears using shelter dens.
Sixty days represents the minimum age
of cubs before they have a chance of
survival outside of the den. Thus,
periods less than 60 days in the den
have a higher chance of being shelter
dens.
We truncated this distribution to
ensure that all simulated dates occurred
within the range of observed values (i.e.,
September 12 to December 22)
identified in USGS (2018) to ensure that
entrance dates were not simulated
during biologically unreasonable
periods given that the normal
distribution allows some probability
(albeit small) of dates being
substantially outside a biologically
reasonable range. We selected a date of
birth for each litter from a normal
distribution with the mean set to ordinal
date 348 (i.e., December 15) and
standard deviation of 10, which allowed
the 95 percent CI to approximate the
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range of birth dates (i.e., December 1 to
January 15) identified in the peerreviewed literature (Messier et al. 1994,
Van de Velde et al. 2003). We ensured
that simulated birth dates occurred after
simulated den entrance dates. We
selected the emergence date as a random
draw from an asymmetric Laplace
distribution with parameters m=81.0,
s=4.79, and p=0.79 estimated from the
empirical emergence dates in Rode et al.
(2018) and published in USGS (2018,
n=52) of radio-collared bears in the SBS
stock that denned on land using the
mleALD function from package ‘ald’
(Galarzar and Lachos 2018) in program
R (R Core Development Team 2021). We
constrained simulated emergence dates
to occur within the range of observed
emergence dates (January 9 to April 9,
again to constrain dates to be
biologically realistic) and to not occur
until after cubs were 60 days old.
Finally, we assigned the number of
days each family group spent at the den
site post-emergence based on values
reported in three behavioral studies,
Smith et al. (2007, 2013) and Robinson
(2014), which monitored dens
immediately after emergence (n=25
dens). Specifically, we used the mean
(8.0) and SD (5.5) of the dens monitored
in these studies to parameterize a
gamma distribution using the method of
moments (Hobbs and Hooten 2015) with
a shape parameter equal to 8.02/5.52
and a rate parameter equal to 8.0/5.52;
we selected a post-emergence, predeparture time for each den from this
distribution. We restricted time at the
den post emergence to occur within the
range of times observed in Smith et al.
(2007, 2013) and Robinson (2014) (i.e.,
2–23 days, again to ensure biologically
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realistic times spent at the den site were
simulated). Additionally, we assigned
each den a litter size by drawing the
number of cubs from a multinomial
distribution with probabilities derived
from litter sizes (n=25 litters) reported
in Smith et al. (2007, 2013) and
Robinson (2014).
Because there is some probability that
a female naturally emerges with zero
cubs, we also wanted to ensure this
scenario was captured. It is difficult to
parameterize the probability of litter
size equal to zero because it is rarely
observed. We, therefore, assumed that
dens in the USGS (2018) dataset that
had denning durations less than the
shortest den duration where a female
was later observed with cubs (i.e., 79
days) had a litter size of zero. There
were only three bears in the USGS
(2018) data that met this criteria, leading
to an assumed probability of a litter size
of zero at emergence being 0.07. We,
therefore, assigned the probability of 0,
1, 2, or 3 cubs as 0.07, 0.15, 0.71, and
0.07, respectively.
Infrastructure and Human Activities
The model developed by Wilson and
Durner (2020) provides a template for
estimating the level of potential impact
to denning polar bears of specified
activities while also considering the
natural denning ecology of polar bears
in the region. The approach developed
by Wilson and Durner (2020) also
allows for the incorporation of
uncertainty in both the metric
associated with denning bears and in
the timing and spatial patterns of
specified activities when precise
information on those activities is
unavailable. Below we describe the
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different sources of potential
disturbance we considered within the
model. We considered infrastructure
and human activities only within the
area of proposed activity in the IHA
Request. However, given that activity on
the border of this region could still
affect dens falling outside of the area
defined in the IHA Request, we also
considered the impacts to denning bears
within a 1-mile buffer outside of the
proposed activity area.
Roads and Pads
We obtained shapefiles of existing
road and pad infrastructure associated
with industrial activities from JADE.
Each attribute in the shapefiles included
a monthly occupancy rate that ranged
from zero to one. For this analysis, we
assumed that any road or pad with
occupancy greater than zero for a given
month had the potential for human
activity during the entire month unless
otherwise noted.
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Ice Roads and Tundra Travel
We obtained shapefiles of proposed
ice roads, tundra travel routes, and ice
pads from JADE. We also received
information on the proposed start and
end dates for ice roads and tundra
routes each winter from JADE with
activity anticipated to occur at least
daily along each.
Aerial Infrared Surveys
Based on JADE’s Request, we assumed
that all permanent infrastructure (i.e.,
roads and pads) and ice roads would
receive two AIR surveys of polar bear
den habitat within 1.6 km (1 mi) of
those features in the winter of 2021. The
first survey would occur between
November 25 and December 15, and the
second survey would occur between
December 5 and December 31. During
each iteration of the model, the AIR
surveys were randomly assigned a
probability of detecting dens. Two
studies (Smith et al. 2020, Woodruff et
al. in prep) have been conducted since
Wilson and Durner (2020) was
published that require an updated
approach. The study by Woodruff et al.
(in prep) considered the probability of
detecting heat signatures from artificial
polar bear dens. They did not find a
relationship between den snow depth
and detection and estimated a mean
detection rate of 0.24. A recent study by
Smith et al. (2020) estimated that the
detection rate for actual polar bear dens
in northern Alaska was 0.45 and also
did not report any relationship between
detection and den snow depth. Because
the study by Wilson and Durner (2020)
reported detection probability only for
dens with less than 100 cm snow depth,
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we needed to correct it to also include
those dens with greater than 100 cm
snow depth. Based on the distribution
of snow depths used by Wilson and
Durner (2020) derived from data in
Durner et al. (2003), we determined that
24 percent of dens have snow depths
greater than 100 cm. After taking these
into account, the overall detection
probability from Wilson and Durner
(2020) including dens with snow depths
greater than 100 cm was estimated to be
0.54. This led to a mean detection of
0.41 and standard deviation of 0.15
across the three studies. We used these
values, and the method of moments
(Hobbs and Hooten 2015), to inform a
Beta distribution i.e., Beta
(0.412¥0.413¥0.41×0.153920.
15392,0.41¥2×0.412+0.413¥
0.15392+0.41×
0.153920.15392)Beta0.412¥
0.413¥0.41×0.153920.15392,0.41¥2×
0.412+0.413¥0.15392+0.41×
0.153920.15392) from which we drew a
detection probability for each of the
simulated AIR surveys during each
iteration of the model.
Model Implementation
For each iteration of the model, we
first determined which dens were
exposed to each of the simulated
activities and infrastructure. We
assumed that any den within 1.6 km (1
mi) of infrastructure or human activities
was exposed and had the potential to be
disturbed as numerous studies have
suggested a 1.6-km buffer is sufficient to
reduce disturbance to denning polar
bears (MacGillivray et al. 2003, Larson
et al. 2020, Owen et al. 2021). If,
however, a den was detected by an AIR
survey prior to activity occurring within
1.6 km of it, we assumed a 1.6-km buffer
would be established to restrict activity
adjacent to the den and there would be
no potential for future disturbance. If a
den was detected by an AIR survey after
activity occurred within 1.6 km of it, as
long as the activity did not result in a
Level A harassment or lethal take, we
assumed a 1.6-km buffer would be
applied to prevent disturbance during
future denning periods. For dens
exposed to human activity (i.e., not
detected by an AIR survey), we then
identified the stage in the denning cycle
when the exposure occurred based on
the date range of the activities the den
was exposed to. We then determined
whether the exposure elicited a
response by the denning bear based on
probabilities derived from the reviewed
case studies (table 5).
Level B harassment was applicable to
both adults and cubs, if present,
whereas Level A harassment (i.e.,
serious injury and non-serious injury)
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and lethal take were applicable only to
cubs because the specified activities had
a discountable risk of running over dens
and thus killing a female or impacting
her future reproductive potential. The
majority of the specified activities occur
on established, permanent infrastructure
or in areas that would not be suitable for
denning and, therefore, pose no risk of
being run over (i.e., an existing road or
pad). For those activities off permanent
infrastructure (i.e., ice roads and tundra
travel routes), crews will constantly be
on the lookout for signs of denning, use
vehicle-based forward-looking infrared
cameras to scan for dens, and will
largely avoid crossing topographic
features suitable for denning given
operational constraints. Thus, the risk of
running over a den was deemed to have
a probability so low that it was
discountable.
Based on JADE’s description of their
specified activities, we only considered
AIR surveys as discrete exposures given
that surveys occur quickly (i.e., the time
for an airplane to fly over) and
infrequently. The case studies used to
inform the post-emergence period
include one where an individual fell
into a den and caused the female to
abandon her cubs. Therefore, we
excluded this case study from the
calculation of disturbance probabilities
applied to our analysis, which led to a
0 percent probability of lethal take and
a 100 percent probability of non-seriousinjury Level A harassment.
If a Level A harassment or lethal take
was simulated to occur, a den was not
allowed to be disturbed again during the
subsequent denning periods because the
outcome of that denning event was
already determined. As noted above,
Level A harassments and lethal takes
applied only to cubs because specified
activities would not result in those
levels of take for adult females. Adult
females, however, could still receive
Level B takes during the den
establishment period or any time cubs
received Level B harassment, Level A
harassment (i.e., serious injury and nonserious injury), or lethal take.
We developed the code to run this
model in program R (R Core
Development Team 2021) and ran
10,000 iterations of the model (i.e.,
Monte Carlo simulation) to derive the
estimated number of animals disturbed
and associated levels of take.
Model Results
On average, we estimated 52 (median
= 51; 95% CI: 30–79) land-based dens
along the North Slope of Alaska, within
which JADE’s proposal is located.
Estimates for different levels of
harassment takes are presented in table
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6. We also estimated that Level B
harassment from only AIR surveys was
a mean of 0.49 (median = 0; 95% CI: 0–
2). The distributions of both non-serious
Level A harassment and serious Level A
harassment/lethal takes were nonnormal and heavily skewed, as
indicated by markedly different mean
and median values. The heavily skewed
nature of these distributions has led to
a mean value that is not representative
of the most common model result (i.e.,
the median value), which for both nonserious Level A and serious Level A
harassment/lethal takes is 0.0. Due to
the low (0.23 for non-serious Level A
and 0.26 for serious Level A harassment
takes) probability of greater than or
equal to 1 non-serious or serious injury
Level A harassment/lethal take each
year of the proposed IHA period,
combined with the median of 0.0 for
each, we do not estimate the specified
activities will result in non-seriousinjury or serious-injury Level A
harassment or lethal take of polar bears.
TABLE 6—RESULTS OF THE DEN DISTURBANCE MODEL FOR ALL PROPOSED ACTIVITIES DURING THE 1-YEAR IHA PERIOD.
ESTIMATES ARE PROVIDED FOR THE PROBABILITY, MEAN, MEDIAN, AND 95% CONFIDENCE INTERVALS FOR LEVEL B,
NON-SERIOUS LEVEL A, AND SERIOUS LEVEL A HARASSMENT/LETHAL TAKE. THE PROBABILITIES REPRESENT THE
PROBABILITY OF ≥1 TAKE OF A BEAR OCCURRING DURING A GIVEN WINTER
Level B harassment ....................................................................
Non-Serious Level A ..................................................................
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Serious Level A/Lethal ...............................................................
Evaluation of Impacts of Oil Spills on
Polar Bears
To date, large oil spills from Industry
activities in the Beaufort Sea and coastal
regions that would impact polar bears
have not occurred. Even small spills of
oil or waste products have the potential
to impact some bears. The effects of
fouling fur or ingesting oil or wastes,
depending on the amount of oil or
wastes involved, could be short term or
result in death. For example, in April
1988, a dead polar bear was found on
Leavitt Island, northeast of Oliktok
Point. The cause of death was
determined to be ingestion of a mixture
that included ethylene glycol and
Rhodamine B dye (Amstrup et al. 1989).
Again, in 2012, two dead polar bears
that had ingested Rhodamine B were
found on Narwhal Island, northwest of
Endicott. While those bears’ deaths were
clearly human-caused, investigations
were unable to identify a source for the
chemicals. Rhodamine B is commonly
used on the North Slope of Alaska by
many people for many uses, including
Industry. Without identified sources of
contamination, those bear deaths are not
attributed to Industry activity. Thus, we
recognize potential impacts of even
small spills of such materials. However,
because specified activities are
primarily occurring inland and during
the ice season, thereby reducing the
number of polar bears that may come in
contact with any small spills that could
occur and not be cleaned up at time of
occurrence, impacts due to oil spills
will be very unlikely.
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Probability ...................................................................................
Mean ...........................................................................................
Median ........................................................................................
95% Confidence Interval ............................................................
Probability ...................................................................................
Mean ...........................................................................................
Median ........................................................................................
95% Confidence Interval ............................................................
Probability ...................................................................................
Mean ...........................................................................................
Median ........................................................................................
95% Confidence Interval ............................................................
0.58
1.40
1.0
0–6
0.23
0.51
0.0
0–3
0.26
0.58
0.0
0–4
Wilson et al. (2018) analyzed the
potential effects of a ‘‘worst case
discharge’’ (WCD) on polar bears in the
Chukchi Sea. Their WCD scenario was
based on an Industry oil spill response
plan for offshore development in the
region and represented underwater
blowouts releasing 25,000 barrels of
crude oil per day for 30 days beginning
in October. The results of this analysis
suggested that between 5 and 40 percent
of a stock of 2,000 polar bears in the
Chukchi Sea could be exposed to oil if
a WCD occurred. A similar analysis has
not been conducted for the Beaufort Sea;
however, given the extremely low
probability (i.e., 0.0001) that an
unmitigated WCD event would occur
(BOEM 2016, Wilson et al. 2017), the
likelihood of such effects on polar bears
in the Beaufort Sea is extremely low.
subject to repeated exposures,
significant energy expenditure from den
abandonment or departure, or potential
impacts to a cub if the den is abandoned
or departed prematurely. The
probability of greater than or equal to 1
lethal or serious Level A take of denning
polar bears was 0.25.
Sum of Take From All Sources
Critical Assumptions
The applicant proposes to conduct
mobilization activities, well drilling, ice
road and ice pad construction, and
cleanup activities within the PBU and
PTU of the North Slope of Alaska from
December 1, 2021, to November 30,
2022. A summary of total estimated take
via Level B harassment during the
project by source is provided in table 7.
The potential for lethal or Level A
harassment was explored. Lethal take or
Level A harassment would not occur
outside of denning bears because the
level of sound and visual stimuli on a
bear on the surface would not be
significant enough to result in injury or
death. Denning bears, however, may be
In order to conduct this analysis and
estimate the potential amount of Level
B harassment, we made several critical
assumptions.
Level B harassment is equated herein
with behavioral responses that indicate
harassment or disturbance. There is
likely a portion of animals that respond
in ways that indicate some level of
disturbance but do not experience
significant biological consequences. Our
estimates do not account for variable
responses by polar bear age and sex;
however, sensitivity of denning bears
was incorporated into the analysis. The
available information suggests that polar
bears are generally resilient to low
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TABLE 7—TOTAL ESTIMATED LEVEL B
HARASSMENT EVENTS OF POLAR
BEARS AND SOURCE
Source
Estimated
Level B
harassment
Surface Interactions ..............
Denning Impacts ...................
0.21
1.40
Total ...............................
1.61
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levels of disturbance. Females with
dependent young and juvenile polar
bears are physiologically the most
sensitive (Andersen and Aars 2008) and
most likely to experience harassment
from disturbance. There is not enough
information on composition of the SBS
polar bear stock in the proposed project
area to incorporate individual
variability based on age and sex or to
predict its influence on harassment
estimates. Our estimates are derived
from a variety of sample populations
with various age and sex structures, and
we assume the exposed population will
have a similar composition and,
therefore, the response rates are
applicable.
The estimates of behavioral response
presented here do not account for the
individual movements of animals away
from the project area or habituation of
animals to noise or human presence.
Our assessment assumes animals remain
stationary (i.e., density does not
change). There is not enough
information about the movement of
polar bears in response to specific
disturbances to refine this assumption.
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Determinations and Findings
Small Numbers
For our small numbers determination,
we consider whether the estimated
number of polar bears to be subjected to
incidental take is small relative to the
population size of the species or stock.
1. We estimate JADE’s proposed
specified activities in the specified
geographic region will take no more
than 2 SBS polar bears by two Level B
harassment during the 1-year period of
this proposed IHA (see Estimated Take:
Sum of Take from All Sources). Take of
2 animals is 0.2 percent of the best
available estimate of the current SBS
stock size of 907 animals SBS
(Bromaghin et al. 2015, Atwood et al.
2020) ((2 ÷ 907) × 100 ≈ 0.2, and
represents a ‘‘small number’’ of polar
bears of that stock.
2. Within the specified geographical
region, the area of proposed activity is
expected to be small relative to the
range of the SBS stock of polar bears.
SBS polar bears range well beyond the
boundaries of the proposed IHA region.
As such, the IHA region itself represents
only a subset of the potential area in
which this species may occur. Further,
only 17 percent of the IHA area (39,254
ha of 221,179 ha) is estimated to be
impacted by the specified activities,
even accounting for a disturbance zone
surrounding industrial facility and
transit routes. Thus, the Service
concludes that the area of proposed
activity will be relatively small
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compared to the range of the SBS stock
of polar bears.
Conclusion
Therefore, we propose a finding that
JADE’s proposed specified activities
will take by level B harassment only
small numbers of the SBS polar bear
stock because: (1) Only a small
proportion of the polar bear stock will
overlap with the areas where the
specified activities will occur; and (2)
only small numbers will be taken by
harassment because the specified
activities are limited in spatial and
temporal extent reducing the number of
SBS polar bears that could be
encountered in the duration of the
proposed IHA.
Negligible Impacts
For our negligible impacts
determination, we considered the
following:
1. The distribution and habitat use
patterns of polar bears indicate that
relatively few animals will occur in the
specified areas of activity at any
particular time and, therefore, few
animals are likely to be affected.
2. The documented impacts of
previous Industry activities on polar
bears, taking into consideration
cumulative effects, suggests that the
types of activities analyzed for this
proposed IHA will have minimal effects
and will be short-term, temporary
behavioral changes. The vast majority of
reported polar bear observations have
been of polar bears moving through the
proposed IHA region, undisturbed by
the Industry activity.
3. The relatively small area of the
specified activities compared to the
ranges of the SBS stock of polar bears
will reduce the potential of their
exposure to and disturbance from the
specified activities.
4. The Service does not anticipate any
lethal or injurious harassment take that
would remove individual polar bears
from the population or prevent their
successful reproduction. Incidental
harassment events are anticipated to be
limited to human interactions that lead
to short-term behavioral disturbances.
These disturbances would not affect the
rates of recruitment or survival for polar
bear stocks. This proposed IHA does not
authorize injurious or lethal take, and
we do not anticipate any such take will
occur.
5. If this IHA is finalized, the
applicant will be required to adopt
monitoring requirements and mitigation
measures designed to reduce the
potential impacts of their operations on
polar bears. Den detection surveys for
polar bears and adaptive mitigation and
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management responses based on realtime monitoring information (described
in this proposed authorization) will be
used to avoid or minimize interactions
with polar bears and, therefore, limit
potential disturbance of these animals.
We also considered the specific
congressional direction in balancing the
potential for a significant impact with
the likelihood of that event occurring.
The specific congressional direction that
justifies balancing probabilities with
impacts follows:
If potential effects of a specified
activity are conjectural or speculative, a
finding of negligible impact may be
appropriate. A finding of negligible
impact may also be appropriate if the
probability of occurrence is low but the
potential effects may be significant. In
this case, the probability of occurrence
of impacts must be balanced with the
potential severity of harm to the species
or stock when determining negligible
impact. In applying this balancing test,
the Service will thoroughly evaluate the
risks involved and the potential impacts
on marine mammal populations. Such
determination will be made based on
the best available scientific information
(53 FR 8474, March 15, 1988; 132 Cong.
Rec. S 16305 (October. 15, 1986)).
We reviewed the effects of the oil and
gas exploration activities on polar bears,
including impacts from surface
interactions, aircraft overflights, and oil
spills. Based on our review of these
potential impacts, past Industry
monitoring reports, and the biology and
natural history of polar bear, we
conclude that any incidental take
reasonably likely to occur as a result of
projected activities will be limited to
short-term behavioral disturbances that
would not affect the rates of recruitment
or survival for the polar bear stock.
The probability of an oil spill that will
cause significant impacts to polar bears
appears extremely low due to the timing
and location of specified activities. In
the unlikely event of a catastrophic
spill, we will take immediate action to
minimize the impacts to this species
and reconsider the appropriateness of
authorizations for incidental taking
through section 101(a)(5)(A) of the
MMPA.
We have evaluated climate change
regarding polar bears. Climate change is
a global phenomenon and was
considered as the overall driver of
effects that could alter polar bear habitat
and behavior. Though climate change is
a pressing conservation issue for polar
bears, we have concluded that the
authorized incidental taking of polar
bears during the activities proposed by
JADE during this proposed 1-year
authorization will not adversely impact
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the survival of the species, or stock, and
will have no more than negligible
effects. The Service is currently
involved in research to understand how
climate change may affect polar bears.
As we gain a better understanding of
climate change effects, we will
incorporate the information in future
authorizations.
Therefore, we propose a finding that
two Level B harassments in association
with the specified activities addressed
under this proposed IHA will have no
more than a negligible impact on the
SBS stock of polar bears. We do not
expect any resulting disturbance to
negatively impact the rates of
recruitment or survival for the polar
bear stock. This proposed IHA does not
authorize lethal take, and we do not
anticipate that any lethal take will
occur.
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Least Practicable Adverse Impact
We evaluated the practicability and
effectiveness of mitigation measures
based on the nature, scope, and timing
of the specified activities; the best
available scientific information; and
monitoring data during Industry
activities in the specified geographic
region. We propose a finding that the
mitigation measures included within
JADE’s Request will ensure least
practicable adverse impacts on polar
bears (JADE 2021).
Polar bear den surveys before
activities begin during the denning
season, the resulting 1.6-km (1-mi)
operational exclusion zone around all
known polar bear dens, and restrictions
on the timing and types of activities in
the vicinity of dens will ensure that
impacts to denning female polar bears
and their cubs are minimized during
this critical time. Minimum flight
elevations over polar bear areas and
flight restrictions around known polar
bear dens will reduce the potential for
bears to be disturbed by aircraft. Finally,
JADE will implement mitigation
measures to prevent the presence and
impact of attractants such as the use of
wildlife-resistant waste receptacles and
enclosing access doors and stairs. These
measures are outlined in a polar bear
interaction plan that was developed in
coordination with the Service and is
part of JADE’s application for this IHA.
Based on the information we currently
have regarding den and aircraft
disturbance and polar bear attractants,
we concluded that the mitigation
measures outlined in JADE’s Request
(JADE 2021) and incorporated into this
authorization will minimize impacts
from the specified oil and gas activities
to the extent practicable.
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A number of mitigation measures
were considered but determined to be
not practicable. These measures are
listed below:
• Required use of helicopters for AIR
surveys—Use of helicopters to survey
active dens might lead to greater levels
of disturbance and take compared to
fixed-wing aircraft. Additionally, there
is no published data to indicate
increased den detection efficacy of
helicopter AIR.
• Grounding all flights if they must fly
below 1,500 feet—Requiring all aircraft
to maintain an altitude of 1,500 ft at all
times is not practicable as some
operations may require flying below
1,500 ft to perform necessary
inspections or maintain safety of flight
crew. Aircraft are required, however, to
fly above 1,500 ft at all times, except for
emergencies, within 805 m (0.5 mi) of
an observed polar bear.
• Spatial and temporal restrictions on
surface activity—Some spatial and
temporal restrictions of operations were
included in JADE’s Request; however,
additional restrictions would not be
practicable for the specified activities
based on other regulatory and safety
requirements.
• One-mile buffer around all known
polar bear denning habitat—One-mile
buffer around all known polar bear
denning habitat is not practicable as
most of the existing infrastructure used
by JADE occurs within 1 mile of
denning habitat, and they would not be
able to shut down all operations based
on other regulatory and safety
requirements.
• Prohibition of driving over high
relief areas, embankments, or stream
and river crossings—While the denning
habitat must be considered in tundra
travel activities, complete prohibition is
not practicable for safety reasons.
• Use of a broader definition of
‘‘denning habitat’’ for operational
offsets—There is no available data to
support broadening the defining
features of denning habitat beyond that
established by USGS. Such a
redefinition would cause an increase in
the area surveyed for maternal dens, and
the associated increase in potential
harassment of bears on the surface
would outweigh the mitigative benefits.
• Establishment of corridors for sow
and cub transit to the sea ice—As there
is no data to support the existence of
natural transit corridors to the sea ice,
establishment of corridors in the IHA
area would be highly speculative.
Therefore, there would be no mitigative
benefit realized by their establishment.
• Requirement of third-party neutral
marine mammal observers—It is often
not practicable to hire third-party
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marine mammal observers due to
operational constraints. Additional crew
may require additional transit vehicles,
which could increase disturbance.
• Require all activities to cease if a
polar bear is injured or killed until an
investigation is completed—The Service
has incorporated into this proposed
authorization reporting requirements for
all polar bear interactions. While it may
aid in any subsequent investigation,
ceasing all activities may not be
practicable or safe in certain
circumstances and, thus, will not be
mandated.
• Require use of den detection dogs—
It is not practicable or safe to require
scent-trained dogs to detect dens due to
the large spatial extent that would need
to be surveyed along the winter trail
route and project area.
• Require the use of handheld or
vehicle-mounted Forward Looking
Infrared (FLIR)—The efficacy rates for
AIR have been found to be four times
more likely to detect dens versus
ground-based FLIR (handheld or
vehicle-mounted FLIR) due to impacts
of blowing snow on detection. There
would likely be no additional benefit to
requiring ground-based FLIR methods.
Impact on Subsistence Use
Based on past community
consultations, locations of hunting
areas, no anticipated overlap of hunting
areas and Industry projects, and the best
scientific information available,
including monitoring data from similar
activities, we propose a finding that take
caused by the proposed oil and gas
exploration activities in the project area
will not have an unmitigable adverse
impact on the availability of polar bears
for taking for subsistence uses during
the proposed timeframe.
While polar bears represent a small
portion, in terms of the number of
animals, of the total subsistence harvest
for the Kaktovik community, the harvest
of these species is important to Alaska
Natives. JADE will be required to
contact subsistence communities that
may be affected by its activities to
discuss potential conflicts caused by
location, timing, and methods of
proposed operations. JADE must make
reasonable efforts to ensure that
activities do not interfere with
subsistence hunting and that adverse
effects on the availability of polar bears
are minimized. Although past meetings
for the proposed project, prior to being
postponed due to the coronavirus
pandemic, have already taken place, no
official concerns have been voiced by
the Alaska Native communities
regarding project activities limiting
availability of polar bears for
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subsistence uses. However, should such
a concern be voiced, development of
Plans of Cooperation (POCs), which
must identify measures to minimize any
adverse effects, will be required. The
POC will ensure that project activities
will not have an unmitigable adverse
impact on the availability of the species
or stock for subsistence uses. This POC
must provide the procedures addressing
how JADE will work with the affected
Alaska Native communities and what
actions will be taken to avoid
interference with subsistence hunting of
polar bears, as warranted.
The Service has not received any
reports and is not aware of information
that indicates that polar bears are being
or will be deterred from hunting areas
or impacted in any way that diminishes
their availability for subsistence use by
the expected level of oil and gas
activity. If there is evidence that these
oil and gas activities are affecting the
availability of polar bears for take for
subsistence uses, we will reevaluate our
findings regarding permissible limits of
take and the measures required to
ensure continued subsistence hunting
opportunities.
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Monitoring and Reporting
The purpose of monitoring
requirements is to assess the effects of
project activities on polar bears, ensure
that take is consistent with that
anticipated in the negligible impact and
subsistence use analyses, and detect any
unanticipated effects on the species or
stock. Monitoring plans document when
and how bears are encountered, the
number of bears, and their behavior
during the encounter. This information
allows the Service to measure encounter
rates and trends of polar bear activity in
the industrial areas (such as numbers
and gender, activity, seasonal use) and
to estimate numbers of animals
potentially affected by Industry.
Monitoring plans are site-specific,
dependent on the proximity of the
activity to important habitat areas, such
as den sites, travel corridors, and food
sources; however, JADE is required to
report all sightings of polar bears. To the
extent possible, monitors will record
group size, age, sex, reaction, duration
of interaction, and closest approach to
facilities onshore. Activities within the
specified geographic region may
incorporate daily watch logs as well,
which record 24-hour animal
observations throughout the duration of
the project. Polar bear monitors will be
incorporated into the monitoring plan if
bears are known to frequent the area or
known polar bear dens are present in
the area.
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The Service will provide JADE with
the most recent and up-to-date Polar
Bear Observation Form in which to
record sightings of bears. Sightings must
be reported to the Service Office of
Marine Mammal Management (MMM)
within 48 hours of the sighting and
submitted to fw7_mmm_reports@
fws.gov. Details on monitoring
guidelines and reporting requirements
can be read below in Proposed
Authorization, (C) Monitoring and (E)
Reporting Requirements.
Required Determinations
National Environmental Policy Act
(NEPA)
We have prepared a draft
environmental assessment in
accordance with the NEPA (42 U.S.C.
4321 et seq.). We have preliminarily
concluded that authorizing the
nonlethal, incidental take by Level B
harassment of up to two polar bears
from the SBS stock in the specified
geographic region during the specified
activities during the regulatory period
would not significantly affect the
quality of the human environment and,
thus, preparation of an environmental
impact statement for this incidental
harassment authorization is not required
by section 102(2) of NEPA or its
implementing regulations. We are
accepting comments on the draft
environmental assessment as specified
above in DATES and ADDRESSES.
Endangered Species Act
Under the ESA (16 U.S.C. 1536(a)(2)),
all Federal agencies are required to
ensure the actions they authorize are not
likely to jeopardize the continued
existence of any threatened or
endangered species or result in
destruction or adverse modification of
critical habitat. Prior to issuance of this
proposed IHA, the Service will
complete intra-Service consultation
under section 7 of the ESA on our
proposed issuance of an IHA. These
evaluations and findings will be made
available on the Service’s website at
https://ecos.fws.gov/ecp/report/
biological-opinion. The authorization of
incidental take of polar bears and the
measures included in the proposed IHA
will not affect other listed species or
designated critical habitat.
Government-to-Government
Coordination
It is our responsibility to
communicate and work directly on a
Government-to-Government basis with
federally recognized Alaska Native
Tribes and Alaska Native Claims
Settlement Act (ANCSA) corporations in
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61311
developing programs for healthy
ecosystems. We seek their full and
meaningful participation in evaluating
and addressing conservation concerns
for protected species. It is our goal to
remain sensitive to Alaska Native
culture, and to make information
available to Alaska Natives. Our efforts
are guided by the following policies and
directives: (1) The Native American
Policy of the Service (January 20, 2016);
(2) The Alaska Native Relations Policy
(currently in draft form); (3) Executive
Order 13175 (January 9, 2000); (4)
Department of the Interior Secretarial
Orders 3206 (June 5, 1997), 3225
(January 19, 2001), 3317 (December 1,
2011), and 3342 (October 21, 2016); (5)
The Alaska Government-to-Government
Policy (a departmental memorandum
issued January 18, 2001); and (6) the
Department of the Interior’s policies on
consultation with Alaska Native Tribes
and organizations.
We have evaluated possible effects of
the specified activities on federally
recognized Alaska Native Tribes and
organizations. Through the IHA process
identified in the MMPA, the applicant
has presented a communication process,
culminating in a POC if needed, with
the Native organizations and
communities most likely to be affected
by their work. The Service does not
anticipate impacts to Alaska Native
Tribes or ANCSA corporations and does
not anticipate requesting consultation;
however, we invite continued
discussion, either about the project and
its impacts or about our coordination
and information exchange throughout
the IHA/POC process.
Proposed Authorization
We propose to authorize the
nonlethal, incidental take by Level B
harassment of two SBS stock polar
bears. Authorized take will be limited to
disruption of behavioral patterns that
may be caused by oil and gas
exploration and support activities
conducted by JADE Energy Inc. (JADE)
in the Prudhoe Bay Unit (PBU) and the
Point Thomson Unit (PTU) of the North
Slope of Alaska, from December 1, 2021,
through November 30, 2022. We do not
anticipate or authorize any take by Level
A harassment, injury, or death to polar
bears resulting from these activities.
A. General Conditions for This IHA
(1) Activities must be conducted in
the manner described in the request
dated August 2, 2021, for an IHA and in
accordance with all applicable
conditions and mitigation measures.
The taking of polar bears whenever the
required conditions, mitigation,
monitoring, and reporting measures are
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not fully implemented as required by
the IHA is prohibited. Failure to follow
the measures specified both in the
revised request and within this
proposed authorization may result in
the modification, suspension, or
revocation of the IHA.
(2) If project activities cause
unauthorized take (i.e., take of more
than two polar bears, a form of take
other than Level B harassment, or take
of one or more polar bears through
methods not described in the IHA),
JADE must take the following actions: (i)
Cease its activities immediately (or
reduce activities to the minimum level
necessary to maintain safety); (ii) report
the details of the incident to the Service
within 48 hours; and (iii) suspend
further activities until the Service has
reviewed the circumstances and
determined whether additional
mitigation measures are necessary to
avoid further unauthorized taking.
(3) All operations managers, vehicle
operators, and aircraft pilots must
receive a copy of this IHA and maintain
access to it for reference at all times
during project work. These personnel
must understand, be fully aware of, and
be capable of implementing the
conditions of the IHA at all times during
project work.
(4) This IHA will apply to activities
associated with the proposed project as
described in this document and in
JADE’s revised request. Changes to the
proposed project without prior
authorization may invalidate the IHA.
(5) JADE’s request is approved and
fully incorporated into this IHA, unless
exceptions are specifically noted herein.
The request includes:
• JADE’s original request for an IHA,
dated May 19, 2021 (JADE 2021);
• The letters requesting additional
information, dated May 25, 2021;
• JADE’s responses to requests for
additional information from the Service,
dated May 25, 2021;
• JADE’s revised request for an IHA,
dated June 9, 2021;
• JADE’s revised request for an IHA,
dated August 2, 2021; and
• The JADE Exploration and
Appraisal Program Wildlife Avoidance
and Interaction Plan (Appendix A in
JADE 2021).
(6) Operators will allow Service
personnel or the Service’s designated
representative to visit project work sites
to monitor for impacts to polar bears
and subsistence uses of polar bears at
any time throughout project activities so
long as it is safe to do so. ‘‘Operators’’
are all personnel operating under
JADE’s authority, including all
contractors and subcontractors.
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B. Avoidance and Minimization
JADE must implement the following
policies and procedures to avoid
interactions with and minimize to the
greatest extent practicable any adverse
impacts on polar bears, their habitat,
and the availability of these marine
mammals for subsistence uses.
(a) General avoidance measures.
(1) JADE must cooperate with the
Service and other designated Federal,
State, and local agencies to monitor and
mitigate the impacts of activities on
polar bears.
(2) Trained and qualified personnel
must be designated to monitor at all
times for the presence of polar bears,
initiate mitigation measures, and
monitor, record, and report the effects of
the activities on polar bears. JADE must
provide all operators with polar bear
awareness training prior to their
participation in project activities.
Delivery of this polar bear awareness
training must include Service
participation.
(3) A Service-approved polar bear
safety, awareness, and interaction plan
must be on file with the Service Marine
Mammal Management office and
available onsite. The interaction plan
must include:
(i) A description of the proposed
activity (i.e., a summary of the plan of
operations during the proposed
activity);
(ii) A food, waste, and other
attractants management plan;
(iii) Personnel training policies,
procedures, and materials;
(iv) Site-specific polar bear interaction
risk evaluation and mitigation measures;
(v) Polar bear avoidance and
encounter procedures; and
(vi) Polar bear observation and
reporting procedures.
(4) JADE must contact potentially
affected subsistence communities and
hunter organizations to discuss
potential conflicts caused by the
activities and provide the Service
documentation of communications as
described in (D) Measures To Reduce
Impacts to Subsistence Users.
(b) Mitigation measures for onshore
activities. JADE must undertake the
following activities to limit disturbance
around known polar bear dens:
(1) Attempt to locate bear dens. JADE
must conduct two surveys for occupied
polar bear dens in all denning habitat
within 1.6 km (1 mi) of specified
activities using AIR imagery. The first
survey must occur prior to construction
activities between the dates of
November 25 and December 15, and a
second survey must be performed
between the dates of December 5 and
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December 31. All observed or suspected
polar bear dens must be reported to the
Service prior to the initiation of
activities.
(i) AIR surveys will be conducted
during darkness or civil twilight and not
during daylight hours. Ideal
environmental conditions during
surveys would be clear, calm, and cold.
If there is blowing snow, any form of
precipitation, or other sources of
airborne moisture, use of AIR detection
is not advised. Flight crews will record
and report environmental parameters
including air temperature, dew point,
wind speed and direction, cloud ceiling,
and percent humidity, and a flight log
will be provided to the Service within
48 hours of the flight.
(ii) A scientist experienced in
interpreting AIR imagery will be on
board the survey aircraft to analyze the
AIR data in real-time. The data (infrared
video) will be available for viewing by
the Service immediately upon return of
the survey aircraft to the base of
operations in Deadhorse, Alaska. Data
will be transmitted electronically to the
Service in Anchorage for review.
(iii) If a suspected den site is located,
JADE will immediately consult with the
Service to analyze the data and
determine if additional surveys or
mitigation measures are required. All
located dens will be subject to the 1.6km (1.0-mi) exclusion zone as described
in paragraph (b)(1) of this section. The
Service will determine whether the
suspected den is to be treated as a
putative den for the purposes of this
IHA.
(2) Observe 1-mile operational
exclusion zone around known polar
bear dens. Operators must observe a 1.6km (1-mi) operational exclusion zone
around all putative polar bear dens
during the denning season (November–
April, or until the female and cubs leave
the areas). Should previously unknown
occupied dens be discovered within 1
mile of activities, work must cease, and
the Service contacted for guidance. The
Service will evaluate these instances on
a case-by-case basis to determine the
appropriate action. Potential actions
may range from cessation or
modification of work to conducting
additional monitoring, and the holder of
the authorization must comply with any
additional measures specified.
(3) Use the den habitat map
developed by the USGS. In determining
the denning habitat that requires
surveys, use the den habitat map
developed by the USGS. A map of
potential coastal polar bear denning
habitat can be found at: https://
www.usgs.gov/centers/asc/science/
polar-bear-maternal-denning?qt-
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science_center_objects=4#qt-science_
center_objects.
(4) Temporal restriction after July 18.
Proposed cleanup activities must
conclude prior to July 19 to reduce the
likelihood of disturbance to polar bears
and potential for human-polar bear
interactions.
(c) Mitigation measures for aircraft.
(1) Aircraft elevation and flight path
restrictions to avoid disturbance.
Operators of support aircraft should, at
all times, conduct their activities at the
maximum distance practicable from
concentrations of polar bears. Under no
circumstances, other than an
emergency, will aircraft operate at an
altitude lower than 457 m (1,500 ft)
within 805 m (0.5 mi) of polar bears
observed on ice or land measured in a
straight line between the bear and the
ground directly underneath the plane.
Aircraft may be operated below 457 m
(1,500 ft) only when necessary to avoid
adverse weather conditions. However,
when weather conditions necessitate
operation of aircraft at altitudes below
457 m (1,500 ft), the operator must
avoid areas of known polar bear
concentrations and should take
precautions to avoid flying directly over
or within 805 m (0.5 mile) of these
areas.
(2) Aircraft landing and take-off
spatial restrictions. Aircraft will not
land within 805 m (0.5 mi) of a polar
bear. If a polar bear is observed while
the aircraft is grounded, personnel will
board the aircraft and leave the area.
The pilot will also avoid flying over the
polar bear if possible. Pilots should
avoid making any sudden maneuvers,
especially when traveling at lower
altitudes, even if such maneuvers are
intended to avoid polar bears. The
Service recommends that if a polar bear
is spotted within the landing zone or
work area, aircraft operators travel away
from the site, and slowly increase
altitude to 1,500 ft or a level that is
safest and viable given current traveling
conditions. Aircraft may not be operated
in such a way as to separate individual
polar bears from a group of polar bears.
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C. Monitoring
(1) Operators must provide onsite
observers and implement the Serviceapproved polar bear avoidance and
interaction plan to apply mitigation
measures, monitor the project’s effects
on polar bears and subsistence uses, and
to evaluate the effectiveness of
mitigation measures.
(2) All onsite observers shall complete
a Service-provided training course
designed to familiarize individuals with
monitoring and mitigation activities
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identified in the polar bear avoidance
and interaction plan.
(3) Onsite observers must be present
during all operations and must record
all polar bear observations, identify and
document potential harassment, and
work with personnel to implement
appropriate mitigation measures.
(4) Operators shall cooperate with the
Service and other designated Federal,
State, and local agencies to monitor the
impacts of project activities on polar
bears. Where information is insufficient
to evaluate the potential effects of
activities on polar bears and the
subsistence use of this species, JADE
may be required to participate in joint
monitoring efforts to address these
information needs and ensure the least
practicable impact to this resource.
(5) Operators must allow Service
personnel or the Service’s designated
representative to visit project work sites
to monitor impacts to polar bear and
subsistence use at any time throughout
project activities so long as it is safe to
do so.
D. Measures To Reduce Impacts to
Subsistence Users
JADE must conduct its activities in a
manner that, to the greatest extent
practicable, minimizes adverse impacts
on the availability of polar bears for
subsistence uses.
(1) JADE will be required to develop
a Service-approved Plan of Cooperation
(POC) if, through community
consultation, concerns are raised
regarding impacts to subsistence harvest
or Alaska Native Tribes and
organizations.
(2) If required, JADE will implement
the Service-approved POC.
(3) Prior to conducting the work,
JADE will take the following steps to
reduce potential effects on subsistence
harvest of polar bears: (i) Avoid work in
areas of known polar bear subsistence
harvest; (ii) discuss the planned
activities with subsistence stakeholders
including the North Slope Borough, the
Native Village of Kaktovik, the State of
Alaska, the Service, the Bureau of Land
Management, and other interested
parties on a Federal, State, and local
regulatory level; (iii) identify and work
to resolve concerns of stakeholders
regarding the project’s effects on
subsistence hunting of polar bears; (iv)
if any unresolved or ongoing concerns
remain, modify the POC in consultation
with the Service and subsistence
stakeholders to address these concerns;
and (v) develop mitigation measures
that will reduce impacts to subsistence
users and their resources.
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E. Reporting Requirements
JADE must report the results of
monitoring to the Service MMM via
email at: fw7_mmm_reports@fws.gov.
(1) In-season monitoring reports.
(i) Activity progress reports. JADE
must:
(A) Notify the Service at least 48
hours prior to the onset of activities;
(B) Provide the Service weekly
progress reports summarizing activities.
Reports must include GPS/GIS tracks of
all vehicles including scout vehicles in
.kml or .shp format with time/date
stamps and metadata.
(C) Notify the Service within 48 hours
of project completion or end of the work
season.
(ii) Polar bear observation reports.
JADE must report, within 48 hours, all
observations of polar bears and potential
polar bear dens during any project
activities including AIR surveys. Upon
request, monitoring report data must be
provided in a common electronic format
(to be specified by the Service).
Information in the observation report
must include, but need not be limited
to:
(A) Date and time of each observation;
(B) Locations of the observer and
bears (GPS coordinates if possible);
(C) Number of polar bears;
(D) Sex and age class—adult,
subadult, cub (if known);
(E) Observer name and contact
information;
(F) Weather, visibility, and if at sea,
sea state, and sea-ice conditions at the
time of observation;
(G) Estimated closest distance of polar
bears from personnel and facilities;
(H) Type of work being conducted at
time of sighting;
(I) Possible attractants present;
(J) Polar bear behavior—initial
behavior when first observed (e.g.,
walking, swimming, resting, etc.);
(K) Potential reaction—behavior of
bear potentially in response to presence
or activity of personnel and equipment;
(L) Description of the encounter;
(M) Duration of the encounter; and
(N) Mitigation actions taken.
(2) Notification of human-bear
interaction incident report. JADE must
report all human-bear interaction
incidents immediately, and not later
than 48 hours after the incident. A
human-bear interaction incident is any
situation in which there is a possibility
for unauthorized take. For instance,
when project activities exceed those
included in an IHA, when a mitigation
measure was required but not enacted,
or when injury or death of a polar bear
occurs. Reports must include:
(i) All information specified for an
observation report in paragraphs
(1)(ii)(A)–(N) of this section E;
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(ii) A complete detailed description of
the incident; and
(iii) Any other actions taken.
Injured, dead, or distressed polar
bears that are clearly not associated with
project activities (e.g., animals found
outside the project area, previously
wounded animals, or carcasses with
moderate to advanced decomposition or
scavenger damage) must also be
reported to the Service immediately,
and not later than 48 hours after
discovery. Photographs, video, location
information, or any other available
documentation must be included.
(3) Final report. The results of
monitoring and mitigation efforts
identified in the polar bear avoidance
and interaction plan must be submitted
to the Service for review within 90 days
of the expiration of this IHA. Upon
request, final report data must be
provided in a common electronic format
(to be specified by the Service).
Information in the final report must
include, but need not be limited to:
(i) Copies of all observation reports
submitted under the IHA;
(ii) A summary of the observation
reports;
(iii) A summary of monitoring and
mitigation efforts including areas, total
hours, total distances, and distribution;
(iv) Analysis of factors affecting the
visibility and detectability of polar bears
during monitoring;
(v) Analysis of the effectiveness of
mitigation measures;
(vi) A summary and analysis of the
distribution, abundance, and behavior
of all polar bears observed; and
(vii) Estimates of take in relation to
the specified activities.
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Request for Public Comments
If you wish to comment on this
proposed authorization, the associated
draft environmental assessment, or both
documents, you may submit your
comments by either of the methods
described in ADDRESSES. Please identify
if you are commenting on the proposed
authorization, draft environmental
assessment, or both, make your
comments as specific as possible,
confine them to issues pertinent to the
proposed authorization, and explain the
reason for any changes you recommend.
Where possible, your comments should
reference the specific section or
paragraph that you are addressing. The
Service will consider all comments that
are received before the close of the
comment period (see DATES). The
Service does not anticipate extending
the public comment period beyond the
30 days required under section
101(a)(5)(D)(iii) of the MMPA.
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Comments, including names and
street addresses of respondents, will
become part of the administrative record
for this proposal. Before including your
address, telephone number, email
address, or other personal identifying
information in your comment, be
advised that your entire comment,
including your personal identifying
information, may be made publicly
available at any time. While you can ask
us in your comments to withhold from
public review your personal identifying
information, we cannot guarantee that
we will be able to do so.
Karen Cogswell,
Acting Regional Director, Alaska Region.
[FR Doc. 2021–24371 Filed 11–3–21; 4:15 pm]
BILLING CODE 4333–15–P
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
[Docket No. FWS–R4–ES–2021–0124;
FXES11130400000EA–123–FF04EF4000]
Receipt of Incidental Take Permit
Application and Proposed Habitat
Conservation Plan for the Eastern
Indigo Snake, Citrus County, FL;
Categorical Exclusion
Fish and Wildlife Service,
Interior.
ACTION: Notice of availability; request
for comment and information.
AGENCY:
We, the Fish and Wildlife
Service (Service), announce receipt of
an application from Florida Department
of Transportation—Florida’s Turnpike
Enterprise (applicant) (Suncoast
Parkway 2) for an incidental take permit
(ITP) under the Endangered Species Act.
The applicant requests the ITP to take
the federally listed eastern indigo snake
incidental to construction of the fourlane Suncoast Parkway 2 in Citrus
County, Florida. We request public
comment on the application, which
includes the applicant’s proposed
habitat conservation plan (HCP), and the
Service’s preliminary determination that
this HCP qualifies as ‘‘low-effect,’’
categorically excluded, under the
National Environmental Policy Act. To
make this determination, we used our
environmental action statement and
low-effect screening form, both of which
are also available for public review.
DATES: We must receive your written
comments on or before December 6,
2021.
SUMMARY:
ADDRESSES:
Obtaining Documents: You may
obtain copies of the documents online
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Fmt 4703
Sfmt 4703
in Docket No. FWS–R4–ES–2021–0124
at https://www.regulations.gov.
Submitting Comments: If you wish to
submit comments on any of the
documents, you may do so in writing by
any of the following methods:
• Online: https://www.regulations.gov.
Follow the instructions for submitting
comments on Docket No. FWS–R4–ES–
2021–0124.
• U.S. mail: Public Comments
Processing, Attn: Docket No. FWS–R4–
ES–2021–0124; U.S. Fish and Wildlife
Service, MS: PRB/3W, 5275 Leesburg
Pike, Falls Church, VA 22041–3803.
FOR FURTHER INFORMATION CONTACT:
Zakia Williams, by telephone at 904–
731–3119 or via email at zakia_
williams@fws.gov. Individuals who are
hearing or speech impaired may call the
Federal Relay Service at 1–800–877–
8339 for TTY assistance.
SUPPLEMENTARY INFORMATION: We, the
Fish and Wildlife Service (Service),
announce receipt of an application from
Florida Department of Transportation—
Florida’s Turnpike Enterprise
(applicant) for an incidental take permit
(ITP) under the Endangered Species Act
of 1973, as amended (ESA; 16 U.S.C.
1531 et seq.). The applicant requests the
ITP to take the federally listed eastern
indigo snake (Drymarchon corais
couperii) incidental to the construction
of the four-lane Suncoast Parkway 2
(project) in Citrus County, Florida. We
request public comment on the
application, which includes the
applicant’s proposed habitat
conservation plan (HCP), and the
Service’s preliminary determination that
this HCP qualifies as ‘‘low-effect,’’
categorically excluded, under the
National Environmental Policy Act
(NEPA; 42 U.S.C. 4231 et seq.). To make
this determination, we used our
environmental action statement and
low-effect screening form, which are
also available for public review.
Project
Florida Department of
Transportation—Florida’s Turnpike
Enterprise requests a 10-year ITP to take
no more than two eastern indigo snakes
(one male and one female) and one
eastern indigo snake egg clutch
incidental to the construction of the
Suncoast Parkway 2. The take is based
on the estimated home range of the
species and the conversion of
approximately 140 acres (ac) of
occupied eastern indigo snake foraging
and sheltering habitat during
construction of the roadway from SR 44
to CR 486 in Sections 29, 30, 32,
Township 18S, Range 18E, Citrus
County, Florida. The applicant proposes
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Agencies
[Federal Register Volume 86, Number 212 (Friday, November 5, 2021)]
[Notices]
[Pages 61288-61314]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2021-24371]
-----------------------------------------------------------------------
DEPARTMENT OF THE INTERIOR
Fish and Wildlife Service
[Docket No. FWS-R7-ES-2021-0055; FXES111607MRG01-212-FF07CAMM00]
Marine Mammals; Incidental Take During Specified Activities;
Proposed Incidental Harassment Authorization for Southern Beaufort Sea
Stock of Polar Bears in the Prudhoe Bay Unit and Point Thomson Unit of
the North Slope of Alaska
AGENCY: Fish and Wildlife Service, Interior.
ACTION: Notice of receipt of application; proposed incidental
harassment authorization; notice of availability of draft environmental
assessment; request for comments.
-----------------------------------------------------------------------
SUMMARY: We, the U.S. Fish and Wildlife Service, received a request
under the Marine Mammal Protection Act of 1972 from JADE Energy, LLC,
for authorization to take by Level B harassment a small number of polar
bears from the Southern Beaufort Sea (SBS) stock incidental to oil and
gas exploratory activities scheduled to occur between December 1, 2021,
through November 30, 2022. These activities include mobilization,
constructing ice roads and ice pads, drilling wells, and associated
cleanup in the Prudhoe Bay Unit and Point Thomson Unit of the North
Slope of Alaska. Mobilization would occur in December 2021, along a
winter trail stretching east from Deadhorse, Alaska, to Point Thomson,
Alaska. Prepacking of snow and construction of ice roads and pads would
begin mid-December 2021, and drilling would begin at JADE #1 pad in
late-January 2022. If conditions are favorable, drilling on JADE #2 pad
would take place in mid-March 2022, preceding cleanup activities, which
are proposed to be completed by July 15, 2022. We estimate these
activities may result in the nonlethal incidental take of up to two
[[Page 61289]]
SBS stock polar bears. This proposed authorization, if finalized, will
be for take of two SBS stock polar bears by Level B harassment only. No
lethal or Level A take of polar bears is likely or requested, and,
therefore, such take is not included in this proposed authorization.
DATES: Comments on this proposed incidental harassment authorization
and the accompanying draft environmental assessment must be received by
December 6, 2021.
ADDRESSES: Document availability: You may view this proposed
authorization, the application package, supporting information, draft
environmental assessment, and the list of references cited herein at
https://www.regulations.gov under Docket No. FWS-R7-ES-2021-0055, or
these documents may be requested as described under FOR FURTHER
INFORMATION CONTACT. You may submit comments on the proposed
authorization by one of the following methods:
U.S. mail: Public Comments Processing, Attn: Docket No.
FWS-R7-ES-2012-0055, U.S. Fish and Wildlife Service, MS: PRB (JAO/3W),
5275 Leesburg Pike, Falls Church, VA 22041-3803.
Electronic submission: Federal eRulemaking Portal at:
https://www.regulations.gov. Follow the instructions for submitting
comments to Docket No. FWS-R7-ES-2021-0055.
We will post all comments at https://www.regulations.gov. You may
request that we withhold personal identifying information from public
review; however, we cannot guarantee that we will be able to do so. See
Request for Public Comments for more information.
FOR FURTHER INFORMATION CONTACT: Charles Hamilton, U.S. Fish and
Wildlife Service, MS 341, 1011 East Tudor Road, Anchorage, Alaska
99503, by email at [email protected] or by telephone at 1-800-
362-5148. Persons who use a telecommunications device for the deaf
(TDD) may call the Federal Relay Service (FRS) at 1-800-877-8339, 24
hours a day, 7 days a week.
SUPPLEMENTARY INFORMATION:
Background
Section 101(a)(5)(D) of the Marine Mammal Protection Act of 1972
(MMPA; 16 U.S.C. 1361, et seq.) authorizes the Secretary of the
Interior (Secretary) to allow, upon request, the incidental, but not
intentional, taking by harassment of small numbers of marine mammals in
response to requests by U.S. citizens (as defined in title 50 of the
Code of Federal Regulations (CFR) in part 18, at 50 CFR 18.27(c))
engaged in a specified activity (other than commercial fishing) within
a specific geographic region for periods of not more than 1 year. The
Secretary has delegated authority for implementation of the MMPA to the
U.S. Fish and Wildlife Service (Service or we). According to the MMPA,
the Service shall authorize this harassment if we find that the total
of such taking for the 1-year period:
(1) Is of small numbers of marine mammals of a species or stock;
(2) will have a negligible impact on such species or stocks; and
(3) will not have an unmitigable adverse impact on the availability
of these species or stocks for taking for subsistence uses by Alaska
Natives.
If the requisite findings are made, we issue an authorization that
sets forth the following, where applicable:
(a) Permissible methods of taking;
(b) means of effecting the least practicable adverse impact on such
species or stock and its habitat and the availability of the species or
stock for subsistence uses; and
(c) requirements for monitoring and reporting of such taking by
harassment, including, in certain circumstances, requirements for the
independent peer review of proposed monitoring plans or other research
proposals.
The term ``take'' means to harass, hunt, capture, or kill, or
attempt to harass, hunt, capture, or kill any marine mammal.
``Harassment'' means any act of pursuit, torment, or annoyance which
(i) has the potential to injure a marine mammal or marine mammal stock
in the wild (the MMPA defines this as ``Level A harassment''), or (ii)
has the potential to disturb a marine 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 (the MMPA defines this as ``Level B harassment'').
The terms ``negligible impact'' and ``unmitigable adverse impact''
are defined in 50 CFR 18.27 (i.e., regulations governing small takes of
marine mammals incidental to specified activities) as follows:
``Negligible impact'' is 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. ``Unmitigable adverse impact''
means an impact resulting from the specified activity: (1) That is
likely to reduce the availability of the species to a level
insufficient for a harvest to meet subsistence needs by (i) causing the
marine mammals to abandon or avoid hunting areas, (ii) directly
displacing subsistence users, or (iii) placing physical barriers
between the marine mammals and the subsistence hunters; and (2) that
cannot be sufficiently mitigated by other measures to increase the
availability of marine mammals to allow subsistence needs to be met.
The term ``small numbers'' is also defined in 50 CFR 18.27.
However, we do not rely on that definition here as it conflates ``small
numbers'' with ``negligible impacts.'' We recognize ``small numbers''
and ``negligible impact'' as separate and distinct considerations when
reviewing requests for incidental harassment authorizations (IHA) under
the MMPA (see Natural Res. Def. Council, Inc. v. Evans, 232 F. Supp. 2d
1003, 1025 (N.D. Cal. 2003)). Instead, for our small numbers
determination, we estimate the likely number of takes of marine mammals
and evaluate if that take is small relative to the size of the species
or stock.
The term ``least practicable adverse impact'' is not defined in the
MMPA or its enacting regulations. For this IHA, we ensure the least
practicable adverse impact by requiring mitigation measures that are
effective in reducing the impact of project activities, but they are
not so restrictive as to make project activities unduly burdensome or
impossible to undertake and complete.
If the requisite findings are made, we will issue an IHA, which
will set forth the following, where applicable: (i) Permissible methods
of taking; (ii) other means of effecting the least practicable impact
on the species or stock and its habitat, paying particular attention to
rookeries, mating grounds, and areas of similar significance, and on
the availability of the species or stock for taking for subsistence
uses by coastal-dwelling Alaska Natives (if applicable); and (iii)
requirements for monitoring and reporting such taking by harassment.
Summary of Request
On May 19, 2021, the Service received a request on behalf of JADE
Energy, LLC (JADE), for nonlethal incidental harassment of small
numbers of SBS stock polar bears during mobilization, well drilling,
construction of ice roads and pads, and cleanup activities in the
Prudhoe Bay Unit (PBU) and Point Thomson Unit (PTU) of the North Slope
of Alaska for a period of 1 year (December 1, 2021, to November 30,
2022) (hereafter referred to as the ``Request''). After discussions
with the Service regarding project timelines and mitigation measures,
we received
[[Page 61290]]
project shapefiles on May 25, 2021, and a revised Request on June 9,
2021, which was deemed adequate and complete. JADE further amended
their June 9, 2021, Request to include changes to the location of JADE
#2 pad, JADE #2 ice road, and planned location of the winter trail.
This final Request--which is also adequate and complete--was received
August 2, 2021.
Description of Specified Activities and Specific Geographic Region
The specified activities (hereafter referred to as the ``project'')
consists of mobilization activities, construction of ice roads and
pads, drilling wells, and cleanup and supporting activities. All
activities occur within Alaska's North Slope planning area. The North
Slope planning area has 1,225 tracts that lie between the National
Petroleum Reserve--Alaska (NPRA) and the boundary of the Arctic
National Wildlife Refuge (Arctic Refuge). The southern boundary of the
North Slope planning area is the Umiat baseline. Mobilization
activities will stretch east from Deadhorse in the PBU to Point Thomson
in the PTU and will not extend into the Arctic Refuge. JADE is the
majority owner and operator of Alaska State oil and gas lease ADL
343112, which is located approximately 96.6 kilometers (km) (60 miles
[mi]) east of Prudhoe Bay, Alaska, and 94 km (59 mi) west of Kaktovik,
Alaska. ADL 343112 is located within the southeast portion of the PTU
and consists of 266.06 hectares (ha) (657.45 acres [ac]) of land.
Facilities used during the duration of the project activities are
located in Point Thomson at PTU central pad. JADE #1 is approximately
9.09 km (5.65 mi) southeast, and JADE #2 is located approximately 6.37
km (3.96 mi) southwest, of PTU central pad (figure 1).
[GRAPHIC] [TIFF OMITTED] TN05NO21.038
Staging and Mobilization
An overland winter trail stretching from Deadhorse to Point Thomson
will be used for initial mobilization and resupply throughout the
project. The winter trail is planned to be constructed by Exxon Mobil
Alaska Production Inc. (EMAP); however, if EMAP is unable to construct
the winter trail prior to JADE activities, JADE will construct the
winter trail. Approximately 42 round trips of drilling supplies, fuel,
and materials will be hauled by Pisten Bullys and Steiger tractor
trailer units along the winter trail. During drilling and testing,
supply hauls along the winter trail will be limited to every third day,
generally consisting of two Pisten Bullys and two Steigers.
Mobilization would begin January 16, 2022, and demobilization would be
completed by April 29, 2022, with equipment being staged at PTU West
Pad during the summer.
[[Page 61291]]
Ice Road and Pad Construction
One ice road, 5.95 km (3.7 mi) long, will be constructed south from
the end of the PTU gravel road system to JADE #1--a 3.34-ha (8.26-ac)
ice pad. A secondary ice road, 4.1 km (2.55 mi) long, will be
constructed west from the PTU gravel road system to JADE #2, which will
be similar in size to JADE #1. Preparation for the construction of ice
roads and pads is set to occur from December 15, 2021, to January 2,
2022, and would involve two operators and approximately 7 days of work.
Construction would proceed immediately after this activity, with eight
operators working 12-hour day shifts for approximately 8 days to be
completed by January 16, 2022. Maintenance of roads and pads would be
required throughout the project and would be conducted by five
operators working a day shift. Once drilling begins, ice roads will
have daily traffic to shuttle crew to and from the pad(s) via busses
from Point Thomson with approximately four trips per day.
Well Drilling and Cleanup
Drilling equipment will be mobilized from PTU West Pad to JADE #1
starting on January 16, 2022, and drilling will begin January 29, 2022.
If drilling attempts are successful at JADE #1, the drill rig and
associated drilling equipment will be moved to JADE #2 on March 7,
2022. If drilling is conducted at JADE #2, activities will begin
approximately on March 13, 2022, and be completed on April 20, 2022.
Following drilling activities, JADE has proposed to contract one
helicopter in early July to perform flyovers of the project area to
identify any debris that may have been left behind during winter
operations. The cleanup crew will inspect all camp locations and any
area where field activities occurred. All cleanup work is to be
completed by July 15, 2022. The area of cleanup will not extend beyond
the project area, and during transit aircraft used are expected to
maintain 1,500 feet (ft) altitude above ground level (AGL) to avoid
disturbance.
Mitigation Measures
JADE will be working with EMAP to perform two aerial infrared (AIR)
surveys. The first survey will be conducted between November 25 and
December 15, and the second survey will be conducted between December 5
and December 31. In addition to AIR surveys, JADE will be using
handheld and vehicle-mounted forward-looking infrared (FLIR) to locate
maternal dens along any major drainages on the winter trail, snow
drifts greater than 5 ft in height along the winter trail and ice
roads, snow piles around each pad, and any other areas that may provide
suitable snow buildup for denning polar bears. In the event a den is
located, JADE will maintain a 1.6-km (1-mi) exclusion zone around the
den, cease nearby activities or reduce essential activities, increase
communication of personnel, and continuously monitor the den. Aircraft
will be flown at a minimum of 1,500 ft AGL and will not land or take
off if a bear is within 1.6 km (1 mi) of the landing/takeoff site.
Additionally, work is targeted to be complete no later than July 18
prior to open-water season, which marks an increase in polar bear
presence onshore.
Description of Marine Mammals in the Specified Geographic Region
Polar bears comprise 19 stocks ranging across 5 countries and 4
ecoregions that reflect the polar bear dependency on sea-ice dynamics
and seasonality (Amstrup et al. 2008). Two stocks occur in the United
States (Alaska) with ranges that extend to adjacent countries: Canada
(SBS stock) and the Russia Federation (the Chukchi/Bering Seas [CBS]
stock). The SBS stock is the only stock found in the specified
geographic region. Therefore, the description below focuses on the SBS
stock and general polar bear biology and behavior.
Polar Bear Biology
Polar bears are distributed throughout the ice-covered seas and
adjacent coasts of the Arctic region. Polar bears typically occur at
low, uneven densities throughout their circumpolar range (DeMaster and
Stirling 1981, Amstrup et al. 2011, Hamilton and Derocher 2019) in
areas where the sea is ice-covered for all or part of the year. They
are typically most abundant on sea ice, near polynyas (i.e., areas of
persistent open water) and fractures in the ice, and over relatively
shallow continental shelf waters with high marine productivity (Durner
et al. 2004). This sea-ice habitat favors foraging for their primary
prey, ringed seals (Pusa hispida), and other species such as bearded
seals (Erignathus barbatus) (Thiemann et al. 2008, Cherry et al. 2011,
Stirling and Derocher 2012). Polar bears prefer to remain on the sea
ice year-round throughout most of their range; however, an increasing
proportion of stocks are spending prolonged periods of time onshore
(Rode et al. 2015, Atwood et al. 2016). While time spent on land occurs
primarily in late summer and autumn (Rode et al. 2015, Atwood et al.
2016), they may be found throughout the year in the onshore and
nearshore environments. Polar bear distribution in coastal habitats is
often influenced by the movement of seasonal sea ice (Atwood et al.
2016, Wilson et al. 2017) and its direct and indirect effects on
foraging success and, in the case of pregnant females, also dependent
on the availability of suitable denning habitat (Durner et al. 2006,
Rode et al. 2015, Atwood et al. 2016).
In 2008, the Service listed polar bears as threatened under the
Endangered Species Act of 1973, as amended (16 U.S.C. 1531 et seq.;
ESA), due to the loss of sea-ice habitat caused by climate change (73
FR 28212, May 15, 2008). The Service later published a final rule under
section 4(d) of the ESA for the polar bear providing measures that are
necessary and advisable for the conservation of polar bears (78 FR
11766, February 20, 2013). The Service designated critical habitat for
polar bear populations in the United States effective January 6, 2011
(75 FR 76086, December 7, 2010) identifying geographic areas that
contain features that are essential for the conservation of a
threatened or endangered species and that may require special
management or protection. Polar bear critical habitat units include
barrier island habitat, sea-ice habitat (both described in geographic
terms), and terrestrial denning habitat (a functional determination).
Barrier island habitat includes coastal barrier islands and spits along
Alaska's coast; it is used for denning, refuge from human disturbance,
access to maternal dens and feeding habitat, and travel along the
coast. Sea-ice habitat is located over the continental shelf and
includes water 300 meters (m) (~984 ft) or less in depth. Terrestrial
denning habitat includes lands within 32 km (~20 mi) of the northern
coast of Alaska between the Canadian border and the Kavik River and
within 8 km (~5 mi) between the Kavik River and Utqia[gdot]vik. The
total area designated under the ESA as critical habitat covers
approximately 484,734 km\2\ (~187,157 mi\2\) and is entirely within the
lands and waters of the United States. A digital copy of the final rule
designating critical habitat is available at https://www.regulations.gov in Docket No. FWS-R7-ES-2009-0042 or at: https://www.fws.gov/r7/fisheries/mmm/polarbear/pdf/federal_register_notice.pdf.
Polar Bear Stocks
The current total polar bear population is estimated at
approximately 26,000 individuals (95 percent Confidence Interval (CI) =
22,000-31,000; Wiig et al. 2015, Regehr et al. 2016) and comprises 19
stocks
[[Page 61292]]
ranging across 5 countries and 4 ecoregions that reflect the polar bear
dependency on sea-ice dynamics and seasonality (Amstrup et al. 2008).
Two stocks occur in the United States (Alaska) with ranges that extend
to adjacent countries: Canada (the Russia Federation (the Chukchi/
Bering Seas [CBS] stock). In Alaska, polar bears have historically been
observed as far south in the Bering Sea as St. Matthew Island and the
Pribilof Islands (Ray 1971). Management and conservation concerns for
the SBS and CBS polar bear stocks include sea-ice loss due to climate
change, human-bear conflict, oil and gas industry activity, oil spills
and contaminants, marine shipping, disease, and the potential for
overharvest (USFWS 2016, Regehr et al. 2017). Most notably, reductions
in physical condition, growth, and survival of polar bears have been
associated with declines in sea ice (Regehr et al. 2007, Rode et al.
2014, Bromaghin et al. 2015, Lunn et al. 2016). The attrition of summer
Arctic sea ice is expected to remain a primary threat to polar bear
populations (Amstrup et al. 2008, Stirling and Derocher 2012), since
projections indicate continued climate warming at least through the end
of this century (Intergovernmental Panel on Climate Change (IPCC) 2014,
Atwood et al. 2016) (see Climate Change, below, for further details). A
detailed description of the SBS polar bear stock can be found in the
Service's revised Polar Bear (Ursus maritimus) Stock Assessment Report
announced in the Federal Register on June 24, 2021 (86 FR 28526).
Digital copies of the revised Stock Assessment Report are available at:
https://www.fws.gov/alaska/sites/default/files/2021-06/Southern%20Beaufort%20Sea%20SAR%20Final_May%2019rev.pdf.
Southern Beaufort Sea Stock
The SBS polar bear stock is shared between Canada and Alaska.
Radio-telemetry data, combined with eartag returns from harvested
bears, suggest that the SBS stock occupies a region with a western
boundary near Icy Cape, Alaska (Scharf et al. 2019), and an eastern
boundary near Tuktoyaktuk, Northwest Territories, Canada (Durner et al.
2018).
In 2020, the U.S. Geological Survey (USGS) produced the most recent
population estimates for the Alaska portion of the SBS stock (Atwood et
al. 2020), which are based on mark-recapture and collared bear data
collected from the SBS stock from 2001 to 2016. The SBS stock declined
from 2003 to 2006 (this was also reported by Bromaghin et al. 2015)
before stabilizing from 2006 through 2015. Despite the increase in size
from 2009 to 2012, low survival in 2013 appears to have offset those
gains. The number of bears in the SBS stock is thought to have remained
constant since the Bromaghin et al. (2015) estimate of 907 bears. This
number is also supported by survival rate estimates provided by Atwood
et al. (2020) that were relatively high in 2001-2003, decreased during
2004-2008, then improved in 2009, and remained high until 2015, except
for much lower rates in 2012.
In Alaska during the late summer/fall period (July through
November), polar bears from the SBS stock often occur along the coast
and barrier islands, which serve as travel corridors, resting areas,
and to some degree, foraging areas. Based on oil and gas industry
(hereafter, ``Industry'') observations and coastal survey data acquired
by the Service (Wilson et al. 2017), encounter rates between humans and
polar bears are higher during mid-July to mid-November than in any
other season. An average of 140 polar bears may occur on shore during
any week during the period July through November between Utqiagvik and
the Alaska-Canada border (Wilson et al. 2017). The length of time polar
bears spend in these coastal habitats has been linked to sea-ice
dynamics (Rode et al. 2015, Atwood et al. 2016). The remains of
subsistence-harvested bowhead whales (Balaena mysticetus) at Cross and
Barter islands provide a readily available food attractant in these
areas (Schliebe et al. 2006). However, the contribution of bowhead
carcasses to the diet of SBS polar bears varies annually (e.g.,
estimated as 11-26 percent and 0-14 percent in 2003 and 2004,
respectively) and by sex, likely depending on carcass and seal
availability as well as sea-ice conditions (Bentzen et al. 2007).
Polar bears have no natural predators (though cannibalism is known
to occur; Stirling et al. 1993). However, their life-history (e.g.,
late maturity, small litter size, prolonged breeding interval) is
conducive to low intrinsic population growth (i.e., growth in the
absence of human-caused mortality), which was estimated at 6 percent to
7.5 percent for the SBS stock during 2004-2006 (Hunter et al. 2010,
Regehr et al. 2010). The lifespan of wild polar bears is approximately
25 years (Rode et al. 2020). Females reach sexual maturity at 3-6 years
old giving birth 1 year later (Ramsay and Stirling 1988). SBS stock
females typically give birth at 5 years old (Stirling et al. 1976,
Lentfer and Hensel 1980). On average, SBS stock females produce litter
sizes of 1.9 cubs (SD=0.5; Smith et al. 2007, 2013; Robinson 2014) at
intervals that vary from 1 to 3 or more years depending on cub survival
(Ramsay and Stirling 1988) and foraging conditions. For example, when
foraging conditions are unfavorable, polar bears may delay reproduction
in favor of survival (Derocher et al. 1992, Eberhardt 2002). The
determining factor for polar bear stock growth is adult female survival
(Eberhardt 1990). In general, rates above 90 percent are essential to
sustain polar bear stocks (Amstrup and Durner 1995) given low cub
litter survival, which was estimated at 50 percent (90 percent CI: 33-
67 percent) for the SBS stock during 2001-2006 (Regehr et al. 2010). In
the SBS, the probability that adult females will survive and produce
cubs-of-the-year is negatively correlated with ice-free periods over
the continental shelf (Regehr et al. 2007). In general, survival of
cubs-of-the-year is positively related to the weight of the mother and
their own weight (Derocher and Stirling 1996).
Female polar bears without dependent cubs typically breed in the
spring (Amstrup 2003, Stirling et al. 2016). Pregnant females enter
maternity dens between October and December (Durner et al. 2001,
Amstrup 2003), and young are usually born between early December and
early January (Van de Velde et al. 2003). Only pregnant females den for
an extended period during the winter (Rode et al. 2018). Other polar
bears may excavate temporary dens to escape harsh winter conditions;
however, shelter denning is rare for Alaskan polar bear stocks (Olson
et al. 2017). Maternal polar bear dens occur on barrier islands (linear
features of low-elevation land adjacent to the main coastline that are
separated from the mainland by bodies of water), river bank drainages,
and deltas (e.g., those associated with the Colville and Canning
Rivers), much of the North Slope coastal plain (in particular within
the 1002 Area, i.e., the land designated in section 1002 of the Alaska
National Interest Lands Conservation Act and that is part of the Arctic
National Wildlife Refuge in northeastern Alaska; Amstrup 1993), and
coastal bluffs that occur at the interface of mainland and marine
habitat (Durner et al. 2006, 2013, 2020; Blank 2013; Wilson and Durner
2020).
Typically, SBS females denning on land emerge from the den with
their cubs around mid-March (median emergence: March 11, Rode et al.
2018, USGS 2018) and commonly begin weaning when cubs are approximately
2.3-2.5 years old (Ramsay and Stirling 1986, Arnould and Ramsay 1994,
[[Page 61293]]
Amstrup 2003, Rode 2020). Cubs are born blind, with limited fat
reserves, and are able to walk only after 60-70 days (Blix and Lentfer
1978, Kenny and Bickel 2005). If a female leaves a den during early
denning (day of cub birth to 60 days after cub birth), cub mortality is
likely to occur due to a variety of factors, including susceptibility
to cold temperatures (Blix and Lentfer 1978, Hansson and Thomassen
1983, Van de Velde 2003), predation (Derocher and Wiig 1999, Amstrup et
al. 2006), and mobility limitations (Lentfer 1975). Therefore, it is
thought that successful denning, birthing, and rearing activities
require a relatively undisturbed environment. A more detailed
description of the potential consequences of disturbance to denning
females can be found below in Potential Impacts of Specified Activities
on Marine Mammals: Effects to Denning Bears. Radio and satellite
telemetry studies indicate that denning can occur in multiyear pack ice
and on land (Durner et al. 2020). The proportion of dens on land has
increased along the Alaska region (34.4 percent in 1985-1995 to 55.2
percent in 2007-2013; Olson et al. 2017) likely in response to
reductions in stable old ice, which is defined as sea ice that has
survived at least one summer's melt (Bowditch 2002), increases in
unconsolidated ice, and longer melt season (Fischbach et al. 2007,
Olson et al. 2017). If sea-ice extent in the Arctic continues to
decrease and the amount of unstable ice increases, a greater proportion
of polar bears may seek to den on land (Durner et al. 2006, Fischbach
et al. 2007, Olson et al. 2017).
Climate Change
Global climate change will impact the future of polar bear
populations. As atmospheric greenhouse gas concentrations increase so
will global temperatures (Pierrehumbert 2011, IPCC 2014) with
substantial implications for the Arctic environment and its inhabitants
(Harwood et al. 2001, Bellard et al. 2012, Scheffers et al. 2016, Nunez
et al. 2019). The Arctic has warmed at twice the global rate (IPCC
2014), and long-term data sets show that substantial reductions in both
the extent and thickness of Arctic sea-ice cover have occurred over the
past 40 years (Meier et al. 2014, Frey et al. 2015). Stroeve et al.
(2012) estimated that, since 1979, the minimum area of fall Arctic sea
ice declined by over 12 percent per decade through 2010. Record low
minimum areas of fall Arctic sea-ice extent were recorded in 2002,
2005, 2007, and 2012. Further, observations of sea ice in the Beaufort
Sea have shown a trend since 2004 of sea-ice breakup earlier in the
year, re-formation of sea ice later in the year, and a greater
proportion of first-year ice in the ice cover (Galley et al. 2016). The
overall trend of decline of Arctic sea ice is expected to continue for
the foreseeable future (Stroeve et al. 2007, 73 FR 28212, May 15, 2008,
Amstrup et al. 2008, Hunter et al. 2010, Overland and Wang 2013, IPCC
2014). Decline in Arctic sea ice affects Arctic species through habitat
loss and altered trophic interactions. These factors may contribute to
population distribution changes, population mixing, and pathogen
transmission (Post et al. 2013), which further impact population health
of polar bears.
For polar bears, sea-ice habitat loss due to climate change has
been identified as the primary cause of conservation concern (e.g.,
Stirling and Derocher 2012, Atwood et al. 2016, USFWS 2016). A 42
percent loss of optimal summer polar bear habitat throughout the Arctic
is projected for the decade of 2045-2054 (Durner et al. 2009). A recent
global assessment of the vulnerability of the 19 polar bear stocks to
future climate warming ranked the SBS as one of the three most
vulnerable stocks (Hamilton and Derocher 2019)). The study, which
examined factors such as the size of the stock, continental shelf area,
ice conditions, and prey diversity, attributed the high vulnerability
of the SBS stock primarily due to deterioration of ice conditions. The
SBS polar bear stock occurs within the Polar Basin Divergent Ecoregion
(PBDE), which is characterized by extensive sea-ice formation during
the winters and sea ice melting and pulling away from the coast during
the summers (Amstrup et al. 2008). Projections show that polar bear
stocks within the PBDE may be extirpated within the next 45-75 years at
current rates of sea-ice declines (Amstrup et al. 2007, 2008). Atwood
et al. (2016) also predicted that polar bear stocks within the PBDE
will be more likely to greatly decrease in abundance and distribution
as early as the 2020-2030 decade, primarily as a result of sea-ice
habitat loss.
Sea-ice habitat loss affects the distribution and habitat use
patterns of the SBS polar bear stock. When sea ice melts during the
summer, polar bears in the PBDE may either move off the sea ice onto
land for the duration of the summer or move with the sea ice as it
recedes northward (Durner et al. 2009). The SBS stock, and to a lesser
extent the CBS stock, are increasingly utilizing marginal habitat
(i.e., land and ice over less productive waters) (Ware et al. 2017).
Polar bear use of Beaufort Sea coastal areas has increased during the
fall open-water period (June through October). Specifically, the
percentage of radio-collared adult females from the SBS stock utilizing
terrestrial habitats has tripled over 15 years, and SBS polar bears
arrive onshore earlier, stay longer, and leave to the sea ice later
(Atwood et al. 2016). This change in polar bear distribution and
habitat use has been correlated with diminished sea ice and the
increased distance of the pack ice from the coast during the open-water
period (i.e., the less sea ice and the farther from shore the leading
edge of the pack ice is, the more bears are observed onshore) (Schliebe
et al. 2006, Atwood et al. 2016).
The current trend for sea ice in the SBS region will result in
increased distances between the ice edge and land, likely resulting in
more bears coming ashore during the open-water period (Schliebe et al.
2008). More polar bears on land for a longer period of time may
increase both the frequency and the magnitude of polar bear exposure to
human activities, including an increase in human-bear interactions
(Towns et al. 2009, Schliebe et al. 2008, Atwood et al. 2016). Polar
bears spending more time in terrestrial habitats also increases their
risk of exposure to novel pathogens that are expanding north as a
result of a warmer Arctic (Atwood et al. 2016, 2017). Heightened immune
system activity and more infections (indicated by elevated number of
white blood cells) have been reported for the SBS polar bears that
summer on land when compared to those on sea ice (Atwood et al. 2017,
Whiteman et al. 2019). The elevation in immune system activity
represents additional energetic costs that could ultimately impact
stock and individual fitness (Atwood et al. 2017, Whiteman et al.
2019). Prevalence of parasites, such as the nematode Trichinella
nativa, in many Arctic species, including polar bears, pre-dates the
recent global warming. However, parasite prevalence could increase as a
result of changes in diet (e.g., increased reliance on conspecific
scavenging) and feeding habits (e.g., increased consumption of seal
muscle) associated with climate-induced reduction of hunting
opportunities for polar bears (Wilson et al. 2017, Penk et al. 2021).
The continued decline in sea ice is also projected to reduce
connectivity among polar bear stocks and potentially lead to the
impoverishment of genetic diversity that is key to maintaining viable,
resilient wildlife populations (Derocher et al. 2004, Cherry et al.
2013, Kutchera et al. 2016). The circumpolar polar bear population has
been divided into six genetic clusters: The Western Polar Basin (which
includes the SBS
[[Page 61294]]
and CBS stocks), the Eastern Polar Basin, the Western and Eastern
Canadian Archipelago, and Norwegian Bay (Malenfant et al. 2016). There
is moderate genetic structure among these clusters, suggesting polar
bears broadly remain in the same cluster when breeding. While there is
currently no evidence for strong directional gene flow among the
clusters (Malenfant et al. 2016), migrants are not uncommon and can
contribute to gene flow across clusters (Kutschera et al. 2016).
Changing sea-ice conditions will make these cross-cluster migrations
(and the resulting gene flow) more difficult in the future (Kutschera
et al. 2016).
Additionally, habitat loss from decreased sea-ice extent may impact
polar bear reproductive success by reducing or altering suitable
denning habitat and extending the polar bear fasting season (Stirling
and Derocher 2012, Rode et al. 2018, Moln[aacute]r et al. 2020). Along
the Alaskan region the proportion of terrestrial dens increased from
34.4 percent in 1985-1995 to 55.2 percent in 2007-2013 (Olson et al.
2017). Polar bears require a stable substrate for denning. As sea-ice
conditions deteriorate and become less stable, sea-ice dens can become
vulnerable to erosion from storm surges (Fischbach et al. 2007). Under
favorable autumn snowfall conditions, SBS females denning on land had
higher reproductive success than SBS females denning on sea ice.
Factors that may influence the higher reproductive success of females
with land-based dens include longer denning periods that allow cubs
more time to develop, higher snowfall conditions that strengthen den
integrity throughout the denning period (Rode et al. 2018), and
increased foraging opportunities on land (e.g., scavenging on Bowhead
whale carcasses) (Atwood et al. 2016). While SBS polar bear females
denning on land may experience increased reproductive success, at least
under favorable snowfall conditions, it is possible that competition
for suitable denning habitat on land may increase due to more female
polar bears denning on shore as a result of sea-ice decline (Fischbach
et al. 2007) and land-based dens may be more vulnerable to disturbance
from human activities (Linnell et al. 2000).
Polar bear reproductive success, throughout the Circumpolar Region,
may also be impacted by declines in sea ice through an extended fasting
season (Moln[aacute]r et al. 2020). By 2100, recruitment is predicted
to become jeopardized in nearly all polar bear stocks if greenhouse gas
emissions remain uncurbed (RCP 8.5 [Representative Concentration
Pathway 8.5] scenario) as fasting thresholds are increasingly exceeded
due to declines in sea ice across the Arctic circumpolar range
(Moln[aacute]r et al. 2020). As the fasting season increases, most of
these 19 stocks, including in the SBS stock, are expected to first
experience significant adverse effects on cub recruitment followed by
effects on adult male survival and lastly on adult female survival
(Moln[aacute]r et al. 2020). Without mitigation of greenhouse gas
emissions and assuming optimistic polar bear responses (e.g., reduced
movement to conserve energy), cub recruitment in the SBS stock has
possibly been already adversely impacted since the late 1980s, while
detrimental impacts on male and female survival are forecasted to
possibly occur in the late 2030s and 2040s, respectively.
Extended fasting seasons are associated with poor body condition
(Stirling and Derocher 2012), and a female's body condition at den
entry is a critical factor that determines whether the female will
produce cubs and the cubs' chance of survival during their first year
(Rode et al. 2018). Additionally, extended fasting seasons will cause
polar bears to depend more heavily on their lipid reserves for energy,
which can release lipid-soluble contaminants, such as persistent
organic pollutants and mercury, into the bloodstream and organ tissues.
The increased levels of contaminants in the blood and tissues can
affect polar bear health and body condition, which has implications for
reproductive success and survival (Jenssen et al. 2015).
Changes in sea ice can impact polar bears by altering trophic
interactions. Differences in sea-ice dynamics, such as the timing of
ice formation and breakup, as well as changes in sea-ice type and
concentration, may impact the distribution of polar bears and/or their
prey's occurrence and reduce polar bears' access to prey. A climate-
induced reduction in overlap between female polar bears and ringed
seals was detected after a sudden sea-ice decline in Norway that
limited the ability of females to hunt on sea ice (Hamilton et al.
2017). While polar bears are opportunistic and hunt other species,
their reliance on ringed seals is prevalent across their range
(Thiemann et al. 2007, 2008; Florko et al. 2020; Rode et al. 2021).
Male and female polar bears exhibit differences in prey consumption.
Females typically consume more ringed seals compared to males, which is
likely related to more limited hunting opportunities for females (e.g.,
prey size constraints) (McKinney et al. 2017, Bourque et al. 2020).
Female body condition has been positively correlated with consumption
of ringed seals, but negatively correlated with the consumption of
bearded seals (Florko et al. 2020). Consequently, females are more
prone to decreased foraging and reproductive success than males during
years in which unfavorable sea-ice conditions limit polar bears' access
to ringed seals (Florko et al. 2020).
In the SBS stock, adult female and juvenile polar bear consumption
of ringed seals was negatively correlated with winter Arctic
oscillation, which affects sea-ice conditions (McKinney et al. 2017).
This trend was not observed for male polar bears. Instead, male polar
bears consumed more bowhead whale as a result of scavenging the
carcasses of subsistence-harvested bowhead whales during years with a
longer ice-free period over the continental shelf. It is possible that
these alterations in sea-ice conditions may limit female polar bears'
access to ringed seals, and male polar bears may rely more heavily on
alternative onshore food resources in the SBS region (McKinney et al.
2017). Changes in the availability and distribution of seals may
influence polar bear foraging efficiency. Reduction in sea ice is
expected to render polar bear foraging energetically more demanding, as
moving through fragmented sea ice and open-water swimming require more
energy than walking across consolidated sea ice (Cherry et al. 2009,
Pagano et al. 2012, Rode et al. 2014, Durner et al. 2017). Inefficient
foraging can contribute to nutritional stress and poor body condition,
which can have implications for reproductive success and survival
(Regehr et al. 2010).
The decline in Arctic sea ice is associated with the SBS polar bear
stock spending more time in terrestrial habitats (Schliebe et al.
2008). Recent changes in female denning habitat and extended fasting
seasons as a result of sea-ice decline may affect the reproductive
success of the SBS polar bear stock (Stirling and Derocher 2012, Rode
et al. 2018, Moln[aacute]r et al. 2020). Other relevant factors that
could negatively affect the SBS polar bear stock include changes in
prey availability, reduced genetic diversity through limited population
connectivity and/or hybridization with other bear species, increased
exposure to disease and parasite prevalence and/or dissemination,
impacts of human activities (oil and gas exploration/extraction,
shipping, subsistence harvest, etc.) and pollution (Post et al. 2013,
Hamilton and Derocher 2019). Based on the projections of sea-ice
decline in the Beaufort Sea region and demonstrated impacts on SBS
polar bear
[[Page 61295]]
utilization of sea-ice and terrestrial habitats, the Service
anticipates that polar bear use of the Beaufort Sea coastal area will
continue to increase during the open-water season.
Potential Impacts of the Specified Activities on Marine Mammals
Human-Polar Bear Encounters
Industry activities may affect polar bears in numerous ways. SBS
polar bears are typically distributed in offshore areas associated with
multiyear pack ice from mid-November to mid-July and can be found in
large numbers and high densities on barrier islands, along the
coastline, and in the nearshore waters of the Beaufort Sea from mid-
July to mid-November. This distribution leads to a significantly higher
number of human-polar bear encounters on land and at offshore
structures during the open-water period (mid-July to mid-November) than
at other times of the year. Because the project is located entirely on
land, the remainder of this discussion will focus on human-polar bear
encounters on land.
A majority of Industry's on-land bear observations occur within 2
km (1.2 mi) of the coastline; however, the location for these specified
activities are primarily located outside of the coastal area.
Encounters are more likely to occur during the fall at facilities on or
near the coast. These facilities and associated infrastructure may act
as physical barriers to polar bear movements; however, polar bears have
frequently been observed crossing existing roads. Polar bear
interaction plans, training, and monitoring have the potential to
reduce human-polar bear encounters and the risks to bears and humans
when encounters occur. Polar bear interaction plans detail the policies
and procedures that the associated facilities and personnel will
implement to avoid attracting and interacting with polar bears as well
as minimizing impacts to the bears. Interaction plans also detail how
to respond to the presence of polar bears, the chain of command and
communication, and required training for personnel.
The noises, sights, and smells produced by the proposed project
activities could disturb and elicit variable responses from polar
bears. Noise disturbance can originate from either stationary or mobile
sources. Stationary sources include construction, maintenance, repair
and cleanup activities, and drilling operations. Mobile sources include
aircraft traffic, ice road construction, vehicle traffic, tracked
vehicles, and snowmobiles.
The potential behavioral reaction of polar bears to the specified
activities can vary by activity type. Camp odors may attract polar
bears, potentially resulting in human-bear encounters, intentional
hazing, or possible lethal take in defense of human life. Noise
generated on the ground by industrial activity may cause a behavioral
(e.g., escape response) or physiologic (e.g., increased heart rate,
hormonal response) (Harms et al. 1997, Tempel and Gutierrez 2003)
response. The available studies of polar bear behavior indicate that
the intensity of polar bear reaction to noise disturbance may be based
on previous interactions, sex, age, and maternal status (Dyck and
Baydack 2004, Anderson and Aars 2008).
Effects of Aircraft Overflights on Polar Bears
Bears near aircraft flight paths experience increased noise and
visual stimuli, both have the potential to elicit a biologically
significant behavioral response. Polar bears likely have acute hearing
with previous sensitivities demonstrated between 1.4-22.5 kHz (tests
were limited to 22.5 kHz; Nachtigall et al. 2007). This range, which is
wider than that seen in humans, supports the idea that polar bears may
experience temporary (called temporary threshold shift, or TTS) or
permanent (called permanent threshold shift, or PTS) hearing impairment
if they are exposed to high-energy sound. While species-specific TTS
and PTS thresholds have not been established for polar bears,
thresholds have been established for the general group ``other marine
carnivores,'' which includes polar bears (Southall et al. 2019).
Through a series of systematic modeling procedures and extrapolations,
Southall et al. (2019) have generated modified noise exposure
thresholds for in-air sound (table 1).
Table 1--Temporary Threshold Shift (TTS) and Permanent Threshold Shift (PTS) Thresholds Established by Southall et al. (2019) Through Modeling and
Extrapolation for ``Other Marine Carnivores,'' Which Includes Polar Bears
[Values are weighted for other marine carnivores' hearing thresholds and given in cumulative sound exposure level (SELCUM dB re (20[micro]Pa)\2\s in
air) for impulsive and non-impulsive sounds and unweighted peak sound pressure level in air (dB re 20[micro]Pa) (impulsive sounds only).]
--------------------------------------------------------------------------------------------------------------------------------------------------------
TTS PTS
-----------------------------------------------------------------------------------------------------------
Non-impulsive Impulsive Non-impulsive Impulsive
-----------------------------------------------------------------------------------------------------------
SELCUM SELCUM Peak SPL SELCUM SELCUM Peak SPL
--------------------------------------------------------------------------------------------------------------------------------------------------------
Air......................................... 157 146 161 177 161 167
--------------------------------------------------------------------------------------------------------------------------------------------------------
During a Federal Aviation Administration test, test aircraft
produced sound at all frequencies measured AGL (50 Hz to 10 kHz) (Healy
1974). At frequencies centered at 5 kHz, jets flying at 300 m (984 ft)
produced \1/3\ octave band noise levels of 84 to 124 dB AGL, propeller-
driven aircraft produced 75 to 90 dB AGL, and helicopters produced 60
to 70 dB AGL (Richardson et al. 1995). Thus, the frequency and level of
airborne sounds typically produced by the activities associated with
JADE's Request is unlikely to cause temporary or permanent hearing
damage. Sound frequencies produced by aircraft will likely fall within
the hearing range of polar bears (see Nachtigall et al. 2007) and will
thus be audible to animals during flyovers or when operating in
proximity to polar bears.
Although temporary or permanent hearing damage is not anticipated,
impacts to bears near aircraft flight paths have the potential to
elicit biologically significant behavioral responses from polar bears.
Observations of polar bears during fall coastal surveys, which flew at
much lower altitudes than typical flights, indicate that the reactions
of non-denning polar bears are typically varied but limited to short-
term changes in behavior ranging from no reaction to running away.
Polar bears associated with dens have been shown to increase vigilance,
initiate rapid movement, and even abandon dens when exposed to low-
flying aircraft. Aircraft activities can impact polar bears over all
seasons; however, during the summer and fall
[[Page 61296]]
seasons, aircraft have the potential to disturb both individuals and
congregations of polar bears. These onshore polar bears spend the
majority of their time resting and limiting their movements on land.
Exposure to auditory and visual stimuli associated with aircraft flight
paths is likely to result in changes in behavior, such as going from
resting to walking or running, and, therefore, has the potential to be
energetically costly. Mitigation measures, such as minimum flight
elevations over polar bears and avoidance of frequently used habitat
areas as well as flight restrictions around known polar bear
aggregations, will be required when safe, to achieve least practicable
adverse impact of the likelihood that polar bears are disturbed by
aircraft.
Effects to Denning Polar Bears
The Service monitors known polar bear dens around the oilfield
discovered either opportunistically or during planned surveys for
tracking marked polar bears and detecting polar bear dens. However,
these sites are only a small percentage of the total active polar bear
dens for the SBS stock in any given year. To identify any active polar
bear dens in the area, JADE has included in the Request plans to
conduct AIR surveys in addition to using handheld and vehicle-mounted
FLIR. If a polar bear den is located, activities are required to avoid
known polar bear dens by 1.6 km (1 mi). When a previously unknown den
is discovered in proximity to ongoing activities, JADE will implement
mitigation measures such as the 1.6-km (1-mi) activity exclusion zone
around the den and 24-hour monitoring of the site.
The responses of denning polar bears to disturbance and the
consequences of these responses can vary throughout the denning
process. We divide the denning period into four stages when considering
impacts of disturbance: Den establishment, early denning, late denning,
and post-emergence; definitions and descriptions are located in the
2021-2026 Beaufort Sea ITR (86 FR 42982, August 5, 2021).
Effects of Industry Activities on Polar Bear Prey
While some oil and gas activity on the North Slope of Alaska may
impact polar bears indirectly by altering polar bears' access to their
prey, primarily ringed seals and bearded seals, impacts from the
specified activities will not occur offshore. Therefore, the specified
activities are not anticipated to have effects on polar bear prey or
their availability to access prey.
Estimated Take
Definitions of Incidental Take Under the Marine Mammal Protection Act
Below we provide definitions of potential types of take of polar
bears. The Service does not anticipate and is not authorizing lethal
take or Level A harassment as a part of this proposed incidental
harassment authorization, nor was it included in the Request; however,
the definitions of these take types are provided for context and
background.
Lethal Take
Human activity may result in biologically significant impacts to
polar bears. In the most serious interactions (e.g., vehicle collision
or running over an unknown den causing its collapse), human actions can
result in polar bear mortality. We also note that, while not considered
incidental, in situations where there is an imminent threat to human
life, polar bears may be killed. Additionally, though not considered
incidental, polar bears have been accidentally killed during efforts to
deter polar bears from a work area for safety and from direct chemical
exposure (81 FR 52276, August 5, 2016). Unintentional disturbance of a
female polar bear by human activity during the denning season may cause
the female either to abandon her den prematurely with cubs or abandon
her cubs in the den before the cubs can survive on their own. Either
scenario may result in the incidental lethal take of the cubs.
Level A Harassment
Human activity may result in the injury of polar bears. Level A
harassment for nonmilitary readiness activities is defined as any act
of pursuit, torment, or annoyance that has the potential to injure a
marine mammal or marine mammal stock in the wild. Numerous actions can
cause take by Level A harassment, such as creating an annoyance that
separates mothers from dependent cubs (Amstrup 2003), results in polar
bear mothers leaving the den early (Amstrup and Gardner 1994, Rode et
al. 2018), or interrupts the nursing or resting of cubs.
Level B Harassment
Level B Harassment for nonmilitary readiness activities means any
act of pursuit, torment, or annoyance that has the potential to disturb
a marine mammal or marine mammal stock in the wild by causing
disruption of behaviors or activities, including, but not limited to,
migration, breathing, nursing, feeding, or sheltering. Human-caused
changes in behavior that disrupt biologically significant behaviors or
activities for the affected animal indicate take by Level B harassment
under the MMPA. Such reactions include, but are not limited to, the
following:
Fleeing (running or swimming away from a human or a human
activity);
Displaying a stress-related behavior such as jaw or lip-
popping, front leg stomping, vocalizations, circling, intense staring,
or salivating;
Abandoning or avoiding preferred movement corridors such
as ice floes, leads, polynyas, a segment of coastline, or barrier
islands;
Using a longer or more difficult route of travel instead
of the intended path;
Interrupting breeding, sheltering, or feeding;
Moving away at a fast pace (adult) and cubs struggling to
keep up;
Ceasing to nurse or rest (cubs);
Ceasing to rest repeatedly or for a prolonged period
(adults);
Loss of hunting opportunity due to disturbance of prey; or
Any interruption in normal denning behavior that does not
cause injury, den abandonment, or early departure of the family group
from the den site.
This list is not meant to encompass all possible behaviors; other
behavioral responses may also be indicative of Level B harassment.
Relatively minor changes in behavior such as increased vigilance or a
short-term change in direction of travel are not likely to disrupt
biologically important behavioral patterns, and the Service does not
view such minor changes in behavior as indicative of Level B
harassment. It is also important to note that reactions of greater
duration, frequency, or severity than contemplated in the list above
could reflect take by Level A harassment.
Surface Interactions
Encounter Rate
Human-caused disturbances cannot cause take if no polar bears are
present in the area of exposure. To quantify the anticipated take
associated with a given activity, it is necessary to evaluate the
number of polar bears anticipated to be present within the area of
exposure. The best available scientific evidence for estimating polar
bear prevalence near areas of industrial activities on the North Slope
includes data concerning human-polar bear encounters. The most
comprehensive dataset of human-polar bear encounters along the coast of
Alaska consists of records of Industry encounters during activities on
the North Slope submitted to the Service
[[Page 61297]]
under existing and previous incidental take regulations. This database
is referred to as the ``LOA database'' because it aggregates data
reported by the Industry to the Service pursuant to the terms and
conditions of Letters of Authorization (LOA) issued under current and
previous incidental take regulations (50 CFR part 18, subpart J). We
have used records in the LOA database from the period 2014-2018, in
conjunction with polar bear density projections for the entire
coastline, to generate quantitative encounter rates in the project
area. This 5-year period was used to provide metrics that reflected the
most recent patterns of polar bear habitat use within the Beaufort Sea
region. Each encounter record includes the date and time of the
encounter, a general description of the encounter, number of bears
encountered, latitude and longitude, weather variables, and the
Service's take determination. If latitude and longitude were not
supplied in the initial report, we georeferenced the encounter using
the location description and a map of North Slope infrastructure.
Spatially Partitioning the North Slope Into ``coastal'' and ``inland''
Zones
The vast majority of SBS polar bear encounters along the Alaskan
coast occur along the shore or immediately offshore (Atwood et al.
2015, Wilson et al. 2017). Thus, encounter rates for inland operations
should be significantly lower than those for offshore or coastal
operations. To partition the North Slope into ``coastal'' and
``inland'' zones, we calculated the distance to shore for all encounter
records in the period 2014-2018 in the Service's LOA database using a
shapefile of the coastline and the dist2Line function found in the R
geosphere package (Geosphere Version 1.5-10, https://cran.r-project.org/web/packages/geosphere/, accessed May 26, 2019).
Linked sightings of the same bear(s) were removed from the analysis,
and individual records were created for each bear encountered. However,
because we were able to identify and remove only repeated sightings
that were designated as linked within the database, it is likely that
some repeated encounters of the same bear remained in our analysis. Of
the 1,713 bears encountered from 2014 through 2018, 1,140 (66.5
percent) of the bears were offshore. While these bears were encountered
offshore, the encounters were reported by onshore or island operations
(i.e., docks, drilling and production islands, or causeways). We
examined the distribution of bears that were onshore and up to 10 km
(6.2 mi) inland to determine the distance at which encounters sharply
decreased (figure 2).
[GRAPHIC] [TIFF OMITTED] TN05NO21.039
The histogram illustrates a steep decline in human-polar bear
encounters at 2 km (1.2 mi) from shore. Using this data, we divided the
North Slope into the ``coastal zone,'' which includes offshore
operations and up to 2 km (1.2 mi) inland, and the ``inland zone,''
which includes operations more than 2 km (1.2 mi) inland.
Dividing the Year Into Seasons
As we described in Polar Bear Biology above, the majority of polar
bears spend the winter months on the sea ice, leading to few polar bear
encounters on the shore during this season. Many of the specified
activities are also seasonal, and only occur either in the winter or
summer months. To develop an accurate estimate of the number of polar
bear encounters that may result from the
[[Page 61298]]
specified activities, we divided the year into seasons of high bear
activity and low bear activity using the Service's LOA database. Below
is a histogram of all bear encounters from 2014 through 2018 by day of
the year (Julian date). Two clear seasons of polar bear encounters can
be seen: An ``open-water season'' that begins in mid-July and ends in
mid-November, and an ``ice season'' that begins in mid-November and
ends in mid-July. The 200th and 315th days of the year were used to
delineate these seasons when calculating encounter rates (figure 3).
[GRAPHIC] [TIFF OMITTED] TN05NO21.040
North Slope Encounter Rates
Encounter rates in bears/season/km\2\ were calculated using a
subset of the Industry encounter records maintained in the Service's
LOA database. The following formula was used to calculate encounter
rate (Equation 1):
[GRAPHIC] [TIFF OMITTED] TN05NO21.041
The subset consisted of encounters in areas that were constantly
occupied year-round to prevent artificially inflating the denominator
of the equation and negatively biasing the encounter rate. To identify
constantly occupied North Slope locations, we gathered data from
several sources. We used past LOA applications to find descriptions of
projects that occurred anywhere within 2014-2018 and the final LOA
reports to determine the projects that proceeded as planned and those
that were never completed. Finally, we relied upon the institutional
knowledge of our staff, who have worked with operators and inspected
facilities on the North Slope. To determine the area around industrial
facilities in which a polar bear can be seen and reported, we queried
the Service LOA database for records that included the distance to an
encountered polar bear. It is important to note that these values may
represent the closest distance a bear came to the observer or the
distance at initial contact. Therefore, in some cases, the bear may
have been initially encountered farther than the distance recorded. The
histogram of
[[Page 61299]]
these values shows a drop in the distance at which a polar bear is
encountered at roughly 1.6 km (1 mi) (figure 4).
[GRAPHIC] [TIFF OMITTED] TN05NO21.042
Using this information, we buffered the 24-hour occupancy locations
listed above by 1.6 km (1 mi) and calculated an overall search area for
both the coastal and inland zones. The coastal and inland occupancy
buffer shapefiles were then used to select encounter records that were
associated with 24-hour occupancy locations, resulting in the number of
bears encountered per zone. These numbers were then separated into
open-water and ice seasons (table 2).
Table 2--Summary of Encounters of Polar Bears on the North Slope of
Alaska in the Period 2014-2018 Within 1.6 km (1 mi) of the 24-Hour
Occupancy Locations and Subsequent Encounter Rates for Coastal (A) and
Inland (B) Zones
------------------------------------------------------------------------
Ice season Open-water season
Year encounters encounters
------------------------------------------------------------------------
(A) Coastal Zone (Area = 133
km\2\):
2014.................... 2................... 193.
2015.................... 8................... 49.
2016.................... 4................... 227.
2017.................... 7................... 313.
2018.................... 13.................. 205.
Average................. 6.8................. 197.4
Seasonal Encounter 0.05 bears/km\2\.... 1.48 bears/km\2\.
Rate.
(B) Inland Zone (Area = 267
km\2\):
2014.................... 3................... 3.
2015.................... 0................... 0.
2016.................... 0................... 2.
2017.................... 3................... 0.
2018.................... 0................... 2.
Average................. 1.2................. 1.4.
Seasonal Encounter 0.004 bears/km\2\... 0.005 bears/km\2\.
Rate.
------------------------------------------------------------------------
Harassment Rate
The Level B harassment rate or the probability that an encountered
bear will experience Level B harassment was calculated using the 2014-
2018 dataset from the LOA database. A binary logistic regression of
harassment regressed upon distance to shore was not significant
(p=0.65), supporting the use of a single harassment rate for both the
coastal and inland zones. However, a binary logistic regression of
[[Page 61300]]
harassment regressed upon day of the year was significant. This
significance held when encounters were binned into either ice or open-
water seasons (p <0.0015).
We subsequently estimated the harassment rate for each season with
a Bayesian probit regression with season as a fixed effect (Hooten and
Hefley 2019). Model parameters were estimated using 10,000 iterations
of a Markov chain Monte Carlo algorithm composed of Gibbs updates
implemented in R (R core team 2021, Hooten and Hefley 2019). We used
Normal (0,1) priors, which are uninformative on the prior predictive
scale (Hobbs and Hooten 2015), to generate the distribution of open-
water and ice-season marginal posterior predictive probabilities of
harassment. The upper 99 percent quantile of each probability
distribution can be interpreted as the upper limit of the potential
harassment rate supported by our dataset (i.e., there is a 99 percent
chance that given the data the harassment rate is lower than this
value). We chose to use 99 percent quantiles of the probability
distributions to account for any negative bias that has been introduced
into the dataset through unobserved harassment or variability in the
interpretation of polar bear behavioral reactions by multiple
observers. The final harassment rates were 0.19 during the open-water
season and 0.37 during the ice season (figure 5).
[GRAPHIC] [TIFF OMITTED] TN05NO21.044
Impact Area
As noted above, we have calculated encounter rates depending on the
distance from shore and season and take rates depending on season. To
properly assess the area of potential impact from the project
activities, we must calculate the area affected by project activities
to such a degree that harassment is possible. This is sometimes
referred to as a zone or area of influence. Behavioral response rates
of polar bears to disturbances are highly variable, and data to support
the relationship between distance to bears and disturbance is limited.
Dyck and Baydack (2004) found sex-based differences in the frequencies
of vigilant bouts of polar bears in the presence of vehicles on the
tundra. However, in their summary of polar bear behavioral response to
ice-breaking vessels in the Chukchi Sea, Smultea et al. (2016) found no
difference between reactions of males, females with cubs, or females
without cubs. During the Service's coastal aerial surveys, 99 percent
of polar bears that responded in a way that indicated possible Level B
harassment (polar bears that were running when detected or began to run
or swim in response to the aircraft) did so within 1.6 km (1 mi), as
measured from the ninetieth percentile horizontal detection distance
from the flight line. Similarly, Andersen and Aars (2008) found that
female polar bears with cubs (the most conservative group observed)
began to walk or run away from approaching snowmobiles at a mean
distance of 1,534 m (0.95 mi). Thus, while future research into the
reaction of polar bears to anthropogenic disturbance may indicate a
different zone of potential impact is appropriate, the current
literature suggests 1.6 km (1.0 mi) will likely encompass the majority
of polar bear harassment events.
Correction Factor
While the locations that were used to calculate encounter rates are
thought to have constant human occupancy, it is possible that bears may
be in the vicinity of industrial infrastructure and not be noticed by
humans. These unnoticed bears may also experience Level B harassment.
To determine whether our calculated encounter rate should be corrected
for unnoticed bears, we compared our encounter rates to Wilson et al.'s
(2017) weekly average polar bear estimates along the northern coast of
Alaska and the South Beaufort Sea.
Wilson et al.'s weekly average estimate of polar bears across the
coast was informed by Service-conducted aerial surveys in the period
2000-2014
[[Page 61301]]
and supplemented by daily counts of polar bears in three high-density
barrier islands (Cross, Barter, and Cooper Islands). Using a Bayesian
hierarchical model, the authors estimated 140 polar bears would be
along the coastline each week between the months of August and October.
These estimates were further partitioned into 10 equally sized grids
along the coast. Grids 4-7 overlap the SBS area, including the PBU and
PTU in which the specified activities are proposed to occur. Grid 6 was
estimated to account for 25 percent of the weekly bear estimate (35
bears); however, 25 percent of the bears in grid 6 were located on
Cross Island. Grids 5 and 7 were estimated to contain 7 bears each,
weekly. Using raw aerial survey data, we calculated the number of bears
per km of surveyed mainland and number of bears per km of surveyed
barrier islands for each Service aerial survey from 2010 through 2014
to determine the proportion of bears on barrier islands versus the
mainland. On average, 1.7 percent, 7.2 percent, and 14 percent of bears
were sighted on the mainland in grids 5, 6, and 7, respectively.
While linked encounter records in the LOA database were removed in
earlier formatting, it is possible that a single bear may be the focus
of multiple encounter records, particularly if the bear moves between
facilities operated by different entities. To minimize repeated
sightings, we designated a single industrial infrastructure location in
each grid: Oliktok Point in grid 5, West Beach in grid 6, and Point
Thomson's central pad in grid 7. These locations were determined in
earlier analyses to have constant 24-hour occupancy; thus, if a polar
bear were within the viewing area of these facilities, it must be
reported as a condition of each entity's LOA.
Polygons of each facility were buffered by 1.6 km (1 mi) to account
for the industrial viewing area (see above) and then clipped by a 400-m
(0.25-mi) buffer around the shoreline to account for the area in which
observers were able to reliably detect polar bears in the Service's
aerial surveys (i.e., the specific area to which the Wilson et al.'s
model predictions applied). Industrial encounters within this area were
used to generate the average weekly number of polar bears from August
through October. Finally, we divided these numbers by area to generate
average weekly bears/km\2\ and multiplied this number by the total
coastal Service aerial survey area. The results are summarized in table
3.
Table 3--Comparison of Polar Bear Encounters to Number of Polar Bears Projected by Wilson et al. 2017 at
Designated Point Locations on the Coast of the North Slope of Alaska
----------------------------------------------------------------------------------------------------------------
Grid 5 Grid 6 Grid 7
----------------------------------------------------------------------------------------------------------------
Total coastline viewing area (km\2\)............................ 34 45 33.4
Industry viewing area (km\2\)................................... 0.31 0.49 1.0
Proportion of coastline area viewed by point location........... 0.009 0.011 0.030
Average number of bears encountered August-October at point 3.2 4.6 28.8
location.......................................................
Number of weeks in analysis..................................... 13 13 13
Average weekly number of bears reported at point location....... 0.246 0.354 2.215
Average weekly number of bears projected in grid................ 7 26 7
Average weekly number of bears projected for point location..... 0.064 0.283 0.210
----------------------------------------------------------------------------------------------------------------
These comparisons show a greater number of industrial sightings
than would be estimated by the Wilson et al. 2017 model. There are
several potential explanations for higher industrial encounters than
projected by model results. Polar bears may be attracted to industrial
infrastructure, the encounters documented may be multiple sightings of
the same bear, or specifically for the Point Thomson location, higher
numbers of polar bears may be travelling past the pad to the Kaktovik
whale carcass piles. However, because the number of polar bears
estimated within the point locations is lower than the average number
of industrial sightings, these findings cannot be used to create a
correction factor for industrial encounter rate. To date, the data
needed to create such a correction factor (i.e., spatially explicit
polar bear densities across the North Slope) have not been generated.
Estimated Harassment
We estimated Level B harassment using the spatio-temporally
specific encounter rates and temporally specific take rates derived
above in conjunction with JADE supplied spatially and temporally
specific data. Table 4 provides the definition for each variable used
in the take formulas.
Table 4--Definitions of Variables Used in Take Estimates of Polar Bears
on the Coast of the North Slope of Alaska
------------------------------------------------------------------------
Variable Definition
------------------------------------------------------------------------
B................................. bears encountered in an area of
interest for the entire season.
a................................. coastal exposure area.
a................................. inland exposure area.
r................................. occupancy rate.
e................................. coastal ice season bear-encounter
rate in bears/season.
e................................. inland ice season bear-encounter
rate in bears/season.
t................................. ice season harassment rate.
B................................. number of estimated Level B
harassment events.
------------------------------------------------------------------------
The variables defined above were used in a series of formulas to
ultimately estimate the total harassment from surface-level
interactions. Encounter rates were originally calculated as bears
encountered per square kilometer per season (see North Slope Encounter
Rates above). As a part of their Request, JADE provided the Service
with digital geospatial files and crew shift information that was used
to determine the maximum expected human occupancy (i.e., rate of
occupancy (ro)) for each phase of the project (e.g.,
construction of ice roads, construction of ice pads, ice road
maintenance, drilling, etc.). Using the buffer tool in ArcGIS, we
created a spatial file of a 1.6-km (1-mi) buffer around all proposed
structures. The areas of impact were then clipped by coastal and inland
zone shapefiles to determine the coastal areas of impact
(ac) and inland areas of impact (ai) for each
activity category. We then used spatial files of the coastal and inland
zones to determine the area in coastal versus inland zones for each
occupancy percentage.
Impact areas were multiplied by the appropriate encounter rate to
obtain the number of bears expected to be encountered in an area of
interest per season (Bes). The equation below (Equation 2)
provides an example of the calculation of bears encountered in the
[[Page 61302]]
ice season for an area of interest in the coastal zone.
[GRAPHIC] [TIFF OMITTED] TN05NO21.045
To generate the number of estimated Level B harassments for each
area of interest, we multiplied the number of bears in the area of
interest per season by the proportion of the season the area is
occupied, the rate of occupancy, and the harassment rate (Equation 3).
[GRAPHIC] [TIFF OMITTED] TN05NO21.046
Aircraft Activities
Aircraft activities are proposed to take place only during cleanup
activities lasting early- to mid-July. The proposed aircraft activity
would be spatially limited, occur prior to the start of the open-water
season (July 19), and be subject to mitigation measures proposed by
JADE. Analyses of previous projects of a similar nature and location,
but larger extents, estimated polar bear takes by harassment to be less
than 0.0003 polar bears. Given this information, the Service has
determined that impacts would be negligible and further analysis is not
warranted.
Methods for Modeling the Effects of Den Disturbance
Case Studies Analysis
To assess the likelihood and degree of exposure and predict
probable responses of denning polar bears to activities proposed in
JADE's Request, we characterized, evaluated, and prioritized a series
of rules and definitions towards a predictive model based on knowledge
of published and unpublished information on polar bear denning ecology,
behavior, and cub survival. Contributing information came from
literature searches in several major research databases and data
compiled from polar bear observations submitted by the Industry. We
considered all available scientific and observational data we could
find on polar bear denning behavior and effects of disturbance.
From these sources, we identified 57 case studies representing
instances where polar bears at a maternal den may have been exposed to
human activities. For each den, we considered the four denning periods
separately, and for each period, determined whether adequate
information existed to document whether (1) the human activity met our
definition of an exposure and (2) the response of the polar bear(s)
could be classified according to our rules and definitions. From these
57 dens, 80 denning period-specific events met these criteria. For each
event, we classified the type and frequency (i.e., discrete or
repeated) of the exposure, the response of the polar bear(s), and the
level of take associated with that response. From this information, we
calculated the probability that a discrete or repeated exposure would
result in each possible level of take during each denning period, which
informed the probabilities for outcomes in the simulation model (table
5).
Table 5--Probability for Each Possible Level of Take Based on the 57 Case Studies From a Discrete or Repeated Exposure During Each Denning Period
--------------------------------------------------------------------------------------------------------------------------------------------------------
Non-serious Serious Level
Exposure type Period None Level B Level A A Lethal
--------------------------------------------------------------------------------------------------------------------------------------------------------
Discrete.................................. Den Establishment........... 0.400 0.600 NA NA NA
Early Denning............... 1.000 0.000 NA NA 0.000
Late Denning................ 0.091 0.000 NA 0.909 0.000
Post-emergence.............. 0.000 0.000 0.750 NA 0.250
Repeated.................................. Den Establishment........... 1.000 0.000 NA NA NA
Early Denning............... 0.800 0.000 NA NA 0.200
Late Denning................ 0.708 0.000 NA 0.292 0.000
Post-emergence.............. 0.000 0.267 0.733 NA 0.000
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 61303]]
Case Study Analysis Definitions
Below, we provide definitions for terms used in this analysis, a
general overview of denning chronology and periods (details are
provided in the Potential Impacts of Specified Activities on Marine
Mammals: Effects to Denning Polar Bears), and the rules established for
using the case studies to inform the model.
Exposure and Response Definitions
Exposure: Any human activity within 1.6 km (1 mi) of a polar bear
den site. In the case of aircraft, an overflight within 457 m (0.3 mi)
above ground level.
Discrete exposure: An exposure that occurs only once and of short
duration (<30 minutes). It can also be a short-duration exposure that
happens repeatedly but that is separated by sufficient time that
exposures can be treated as independent (e.g., aerial pipeline surveys
that occur weekly).
Repeated exposure: An exposure that occurs more than once within a
time period where exposures cannot be considered independent or an
exposure that occurs due to continuous activity during a period of time
(e.g., traffic along a road, or daily visits to a well pad).
Response probability: The probability that an exposure resulted in
a response by denning polar bears.
We categorized each exposure into categories based on polar bear
response:
No response: No observed or presumed behavioral or
physiological response to an exposure.
Likely physiological response: An alteration in the normal
physiological function of a polar bear (e.g., elevated heart rate or
stress hormone levels) that is typically unobservable but is likely to
occur in response to an exposure.
Behavioral response: A change in behavior in response to
an exposure. Behavioral responses can range from biologically
insignificant (e.g., a resting bear raising its head in response to a
vehicle driving along a road) to substantial (e.g., cub abandonment)
and concomitant levels of take vary accordingly.
Timing Definitions
Entrance date: The date a female first enters a maternal den after
excavation is complete.
Emergence date: The date a maternal den is first opened and a bear
is exposed directly to external conditions. Although a bear may exit
the den completely at emergence, we considered even partial-body exits
(e.g., only a bear's head protruding above the surface of the snow) to
represent emergence in order to maintain consistency with dates derived
from temperature sensors on collared bears (e.g., Rode et al. 2018).
For dens located near regularly occurring human activity, we considered
the first day a bear was observed near a den to be the emergence date
unless other data were available to inform emergence dates (e.g., GPS
collar data).
Departure date: The date when bears leave the den site to return to
the sea ice. If a bear leaves the den site after a disturbance but
later returns, we considered the initial movement to be the departure
date.
Definition of Various Denning Periods
Den establishment period: Period of time between the start of
maternal den excavation and the birth of cubs. Unless evidence
indicates otherwise, all dens that are excavated by adult females in
the fall or winter are presumed to be maternal dens. In the absence of
other information, this period is defined as denning activity prior to
December 1 (i.e., estimated earliest date cubs are likely present in
dens (Derocher et al. 1992, Van de Velde et al. 2003)).
Early denning period: Period of time from the birth of cubs until
they reach 60 days of age and are capable of surviving outside the den.
In the absence of other information, this period is defined as any
denning activity occurring between December 1 and February 13 (i.e., 60
days after December 15 the estimated average date of cub birth; Messier
et al. 1994, Van de Velde et al. 2003).
Late denning period: Period of time between when cubs reach 60 days
of age and den emergence. In the absence of other information, this
period is defined as any denning activity occurring between February14
and den emergence.
Post-emergence period: Period of time between den emergence and den
site departure. We considered a ``normal'' duration at the den site
between emergence and departure to be greater than or equal to 8 days
and classified departures that occurred post emergence ``early'' if
they occurred less than 8 days after emergence.
Descriptions of Potential Outcomes
Cub abandonment: Occurs when a female leaves all or part of her
litter, either in the den or on the surface, at any stage of the
denning process. We classified events where a female left her cubs but
later returned (or was returned by humans) as cub abandonment.
Early emergence: Den emergence that occurs as the result of an
exposure (see `Rules' below).
Early departure: Departure from the den site post-emergence that
occurs as the result of an exposure (see `Rules' below).
Predictive Model Rules for Determining Den Outcomes and Assigning Take
We considered any exposure in a 24-hour period that did
not result in a Level A harassment or lethal take to potentially be a
Level B harassment if a behavioral response was observed. However,
multiple exposures do not result in multiple Level B harassments unless
the exposures occurred in two different denning periods.
If comprehensive dates of specific exposures are not
available and daily exposures were possible (e.g., the den was located
within 1.6 km [1 mi] of an ice road), we assumed exposures occurred
daily.
In the event of an exposure that resulted in a disturbance
to denning bears, take was assigned for each bear (i.e., female and
each cub) associated with that den. Whereas assigned take for cubs
could range from Level B harassment to lethal take, for adult females
only Level B harassment was possible.
In the absence of additional information, we assumed dens
did not contain cubs prior to December 1, but did contain cubs on or
after December 1.
If an exposure occurred and the adult female subsequently
abandoned her cubs, we assigned a lethal take for each cub.
If an exposure occurred during the early denning period
and bears emerged from the den before cubs reached 60 days of age, we
assigned a lethal take for each cub. In the absence of information
about cub age, a den emergence that occurred between December 1 and
February 13 was considered to be an early emergence and resulted in a
lethal take of each cub.
If an exposure occurred during the late denning period
(i.e., after cubs reached 60 days of age) and bears emerged from the
den before their intended (i.e., undisturbed) emergence date, we
assigned a serious injury Level A harassment take for each cub. In the
absence of information about cub age and intended emergence date (which
was known only for simulated dens), den emergences that occurred
between (and including) February 14 and March 14 were considered to be
early emergences and resulted in a non-serious-injury Level A
harassment take of each cub. If a den emergence
[[Page 61304]]
occurred after March 14 but was clearly linked to an exposure (e.g.,
bear observed emerging from the den when activity initiated near the
den), we considered the emergence to be early and resulted in a
serious-injury Level A harassment take of each cub.
For dens where emergence was not classified as early, if
an exposure occurred during the post-emergence period and bears
departed the den site prior to their intended (i.e., undisturbed)
departure date, we assigned a non-serious-injury Level A harassment
take for each cub. In the absence of information about the intended
departure date (which was known only for simulated dens), den site
departures that occurred less than 8 days after the emergence date were
considered to be early departures and resulted in a non-serious-injury
Level A harassment take of each cub.
Den Simulation
We simulated dens across the entire North Slope of Alaska, ranging
from the areas identified as denning habitat (Durner et al. 2006, 2013;
Blank 2013) contained within the National Petroleum Reserve-Alaska
(NPRA) in the west to the Canadian border in the east. While JADE's
Request does not include activity inside the Arctic Refuge, we still
simulated dens in that area to ensure that any activities directly
adjacent to the refuge that might impact denning bears inside the
refuge would be captured. To simulate dens on the landscape, we relied
on the estimated number of dens in three different regions of northern
Alaska provided by Atwood et al. (2020). These included the NPRA, the
area between the Colville and Canning Rivers (CC), and Arctic Refuge.
The mean estimated number of dens in each region during a given winter
were as follows: 12 dens (95 percent CI: 3-26) in the NPRA, 26 dens (95
percent CI: 11-48) in the CC region, and 14 dens (95 percent CI: 5-30)
in the Arctic Refuge (Atwood et al. 2020). For each iteration of the
model (described below), we drew a random sample from a gamma
distribution for each of the regions based on the above parameter
estimates, which allowed uncertainty in the number of dens in each area
to be propagated through the modeling process. Specifically, we used
the method of moments (Hobbs and Hooten 2015) to develop the shape and
rate parameters for the gamma distributions as follows: NPRA (122/5.82,
12/5.82), CC (262/9.52, 26/9.52), and Arctic Refuge (142/6.32, 14/
6.32).
Because not all areas in northern Alaska are equally used for
denning and some areas do not contain the requisite topographic
attributes required for sufficient snow accumulation for den
excavation, we did not randomly place dens on the landscape. Instead,
we followed a similar approach to that used by Wilson and Durner (2020)
with some additional modifications to account for differences in
denning ecology in the CC region related to a preference to den on
barrier islands and a general (but not complete) avoidance of actively
used industrial infrastructure. Using the USGS polar bear den catalogue
(Durner et al. 2020), we identified polar bear dens that occurred on
land in the CC region and that were identified either by GPS-collared
bears or through systematic surveys for denning bears (Durner et al.
2020). This resulted in a sample of 37 dens of which 22 (i.e., 60
percent) occurred on barrier islands. For each iteration of the model,
we then determined how many of the estimated dens in the CC region
occurred on barrier islands versus the mainland.
To accomplish this, we first took a random sample from a binomial
distribution to determine the expected number of dens from the den
catalog (Durner et al. 2020) that should occur on barrier islands in
the CC region during that given model iteration;
nbarrier=Binomial(37, 22/37), where 37 represents the total
number of dens in the den catalogue (Durner et al. 2020) in the CC
region suitable for use (as described above) and 22/37 represents the
observed proportion of dens in the CC region that occurred on barrier
islands. We then divided nbarrier by the total number of
dens in the CC region suitable for use (i.e., 37) to determine the
proportion of dens in the CC region that should occur on barrier
islands (i.e., pbarrier). We then multiplied
pbarrier with the simulated number of dens in the CC region
(rounded to the nearest whole number) to determine how many dens were
simulated to occur on barrier islands in the region.
In the NPRA, the den catalogue (Durner et al. 2020) data indicated
that two dens occurred outside of defined denning habitat (Durner et
al. 2013), so we took a similar approach as with the barrier islands to
estimate how many dens occur in areas of the NPRA with the den habitat
layer during each iteration of the model;
nhabitat~Binomial(15, 13/15), where 15 represents the total
number of dens in NPRA from the den catalogue (Durner et al. 2020)
suitable for use (as described above), and 13/15 represents the
observed proportion of dens in NPRA that occurred in the region with
den habitat coverage (Durner et al. 2013). We then divided
nhabitat by the total number of dens in NPRA from the den
catalogue (i.e., 15) to determine proportion of dens in the NPRA region
that occurred in the region of the den habitat layer
(phabitat). We then multiplied phabitat with the
simulated number of dens in NPRA (rounded to the nearest whole number)
to determine the number of dens in NPRA that occurred in the region
with the den habitat layer. Because no infrastructure exists and no
activities are proposed to occur in the area of NPRA without the den
habitat layer, we only considered the potential impacts of activity to
those dens simulated to occur in the region with denning habitat
identified (Durner et al. 2013).
To account for the potential influence of industrial activities and
infrastructure on the distribution of polar bear selection of den
sites, we again relied on the subset of dens from the den catalogue
(Durner et al. 2020) discussed above. We further restricted the dens to
only those occurring on the mainland because no permanent
infrastructure occurred on barrier islands with identified denning
habitat (Durner et al. 2006). We then determined the minimum distance
to permanent infrastructure that was present when the den was
identified. This led to an estimate of a mean minimum distance of dens
to infrastructure being 21.59 km (SD=16.82). From these values, we then
parameterized a gamma distribution: Gamma (21.592/16.822, 21.59/
16.822). We then obtained 100,000 samples from this distribution and
created a discretized distribution of distances between dens and
infrastructure. We created 2.5-km intervals between 0 and 45 km, and
one bin for areas greater than 45 km from infrastructure and determined
the number of samples that occurred within each distance bin. We then
divided the number of samples in each bin by the total number of
samples to determine the probability of a simulated den occurring in a
given distance bin. The choice of 2.5 km for distance bins was based on
a need to ensure that kernel density grid cells occurred in each
distance bin.
To inform where dens are most likely to occur on the landscape, we
developed a kernel density map by using known den locations in northern
Alaska identified either by GPS-collared bears or through systematic
surveys for denning bears (Durner et al. 2020). To approximate the
distribution of dens, we used an adaptive kernel density estimator
(Terrell and Scott 1992) applied to
nn
observed den locations, which took the form
[[Page 61305]]
[GRAPHIC] [TIFF OMITTED] TN05NO21.079
were chosen based on visual assessment so that the density estimate
approximated the observed density of dens and our understanding of
likely den locations in areas with low sampling effort.
The kernel density map we used for this analysis differs slightly
from the version used in previous analyses, specifically our
differentiation of barrier islands from mainland habitat. We used this
modified version because previous analyses did not require us to
consider denning habitat in the CC region, which has a significant
amount of denning that occurs on barrier islands compared to the other
two regions. If barrier islands were not differentiated for the kernel
density estimate, density from the barrier island dens would spill over
onto the mainland, which was deemed to be biologically unrealistic
given the clear differences in den density between the barrier islands
and the mainland in the region. We restricted the distance to
infrastructure component to only the CC region because it is the region
that contains the vast majority of oil and gas infrastructure and has
had some form of permanent industrial infrastructure present for more
than 50 years.
To simulate dens on the landscape, we first sampled in which kernel
grid cell a den would occur based on the underlying relative
probability (figure 6) within a given region using a multinomial
distribution. Once a cell was selected, the simulated den was randomly
placed on the denning habitat (Durner et al. 2006, 2013; Blank 2013)
located within that grid cell. For dens being simulated on mainland in
the CC region, an additional step was required. We first assigned a
simulated den a distance bin using a multinomial distribution of
probabilities of being located in a given distance bin based on the
discretized distribution of distances described above. Based on the
distance to infrastructure bin assigned to a simulated den, we subset
the kernel density grid cells that occurred in the same distance bin
and then selected a grid cell from that subset based on their
underlying probabilities using a multinomial distribution. Then,
similar to other locations, a den was randomly placed on denning
habitat within that grid cell.
[[Page 61306]]
[GRAPHIC] [TIFF OMITTED] TN05NO21.047
For each simulated den, we assigned dates of key denning events:
Den entrance, birth of cubs, when cubs reached 60 days of age, den
emergence, and departure from the den site after emergence. These
represent the chronology of each den under undisturbed conditions. We
selected the entrance date for each den from a normal distribution
parameterized by entrance dates of radio-collared bears in the SBS
subpopulation that denned on land included in Rode et al. (2018) and
published in USGS (2018; n=52, mean=11 November, SD=18 days). These
data were restricted to those dens with both an entrance and emergence
date identified and where a bear was in the den for greater than or
equal to 60 days to reduce the chances of including non-maternal bears
using shelter dens. Sixty days represents the minimum age of cubs
before they have a chance of survival outside of the den. Thus, periods
less than 60 days in the den have a higher chance of being shelter
dens.
We truncated this distribution to ensure that all simulated dates
occurred within the range of observed values (i.e., September 12 to
December 22) identified in USGS (2018) to ensure that entrance dates
were not simulated during biologically unreasonable periods given that
the normal distribution allows some probability (albeit small) of dates
being substantially outside a biologically reasonable range. We
selected a date of birth for each litter from a normal distribution
with the mean set to ordinal date 348 (i.e., December 15) and standard
deviation of 10, which allowed the 95 percent CI to approximate the
range of birth dates (i.e., December 1 to January 15) identified in the
peer-reviewed literature (Messier et al. 1994, Van de Velde et al.
2003). We ensured that simulated birth dates occurred after simulated
den entrance dates. We selected the emergence date as a random draw
from an asymmetric Laplace distribution with parameters [mu]=81.0,
[sigma]=4.79, and p=0.79 estimated from the empirical emergence dates
in Rode et al. (2018) and published in USGS (2018, n=52) of radio-
collared bears in the SBS stock that denned on land using the mleALD
function from package `ald' (Galarzar and Lachos 2018) in program R (R
Core Development Team 2021). We constrained simulated emergence dates
to occur within the range of observed emergence dates (January 9 to
April 9, again to constrain dates to be biologically realistic) and to
not occur until after cubs were 60 days old.
Finally, we assigned the number of days each family group spent at
the den site post-emergence based on values reported in three
behavioral studies, Smith et al. (2007, 2013) and Robinson (2014),
which monitored dens immediately after emergence (n=25 dens).
Specifically, we used the mean (8.0) and SD (5.5) of the dens monitored
in these studies to parameterize a gamma distribution using the method
of moments (Hobbs and Hooten 2015) with a shape parameter equal to
8.02/5.52 and a rate parameter equal to 8.0/5.52; we selected a post-
emergence, pre-departure time for each den from this distribution. We
restricted time at the den post emergence to occur within the range of
times observed in Smith et al. (2007, 2013) and Robinson (2014) (i.e.,
2-23 days, again to ensure biologically realistic times spent at the
den site were simulated). Additionally, we assigned each den a litter
size by drawing the number of cubs from a multinomial distribution with
probabilities derived from litter sizes (n=25 litters) reported in
Smith et al. (2007, 2013) and Robinson (2014).
Because there is some probability that a female naturally emerges
with zero cubs, we also wanted to ensure this scenario was captured. It
is difficult to parameterize the probability of litter size equal to
zero because it is rarely observed. We, therefore, assumed that dens in
the USGS (2018) dataset that had denning durations less than the
shortest den duration where a female was later observed with cubs
(i.e., 79 days) had a litter size of zero. There were only three bears
in the USGS (2018) data that met this criteria, leading to an assumed
probability of a litter size of zero at emergence being 0.07. We,
therefore, assigned the probability of 0, 1, 2, or 3 cubs as 0.07,
0.15, 0.71, and 0.07, respectively.
Infrastructure and Human Activities
The model developed by Wilson and Durner (2020) provides a template
for estimating the level of potential impact to denning polar bears of
specified activities while also considering the natural denning ecology
of polar bears in the region. The approach developed by Wilson and
Durner (2020) also allows for the incorporation of uncertainty in both
the metric associated with denning bears and in the timing and spatial
patterns of specified activities when precise information on those
activities is unavailable. Below we describe the
[[Page 61307]]
different sources of potential disturbance we considered within the
model. We considered infrastructure and human activities only within
the area of proposed activity in the IHA Request. However, given that
activity on the border of this region could still affect dens falling
outside of the area defined in the IHA Request, we also considered the
impacts to denning bears within a 1-mile buffer outside of the proposed
activity area.
Roads and Pads
We obtained shapefiles of existing road and pad infrastructure
associated with industrial activities from JADE. Each attribute in the
shapefiles included a monthly occupancy rate that ranged from zero to
one. For this analysis, we assumed that any road or pad with occupancy
greater than zero for a given month had the potential for human
activity during the entire month unless otherwise noted.
Ice Roads and Tundra Travel
We obtained shapefiles of proposed ice roads, tundra travel routes,
and ice pads from JADE. We also received information on the proposed
start and end dates for ice roads and tundra routes each winter from
JADE with activity anticipated to occur at least daily along each.
Aerial Infrared Surveys
Based on JADE's Request, we assumed that all permanent
infrastructure (i.e., roads and pads) and ice roads would receive two
AIR surveys of polar bear den habitat within 1.6 km (1 mi) of those
features in the winter of 2021. The first survey would occur between
November 25 and December 15, and the second survey would occur between
December 5 and December 31. During each iteration of the model, the AIR
surveys were randomly assigned a probability of detecting dens. Two
studies (Smith et al. 2020, Woodruff et al. in prep) have been
conducted since Wilson and Durner (2020) was published that require an
updated approach. The study by Woodruff et al. (in prep) considered the
probability of detecting heat signatures from artificial polar bear
dens. They did not find a relationship between den snow depth and
detection and estimated a mean detection rate of 0.24. A recent study
by Smith et al. (2020) estimated that the detection rate for actual
polar bear dens in northern Alaska was 0.45 and also did not report any
relationship between detection and den snow depth. Because the study by
Wilson and Durner (2020) reported detection probability only for dens
with less than 100 cm snow depth, we needed to correct it to also
include those dens with greater than 100 cm snow depth. Based on the
distribution of snow depths used by Wilson and Durner (2020) derived
from data in Durner et al. (2003), we determined that 24 percent of
dens have snow depths greater than 100 cm. After taking these into
account, the overall detection probability from Wilson and Durner
(2020) including dens with snow depths greater than 100 cm was
estimated to be 0.54. This led to a mean detection of 0.41 and standard
deviation of 0.15 across the three studies. We used these values, and
the method of moments (Hobbs and Hooten 2015), to inform a Beta
distribution i.e., Beta (0.412-0.413-
0.41x0.153920.15392,0.41-
2x0.412+0.413-
0.15392+0.41x0.153920.15392)Beta0.412-
0.413-0.41x0.153920.15392,0.41-2x0.412+0.413-
0.15392+0.41x0.153920.15392) from which we drew a detection probability
for each of the simulated AIR surveys during each iteration of the
model.
Model Implementation
For each iteration of the model, we first determined which dens
were exposed to each of the simulated activities and infrastructure. We
assumed that any den within 1.6 km (1 mi) of infrastructure or human
activities was exposed and had the potential to be disturbed as
numerous studies have suggested a 1.6-km buffer is sufficient to reduce
disturbance to denning polar bears (MacGillivray et al. 2003, Larson et
al. 2020, Owen et al. 2021). If, however, a den was detected by an AIR
survey prior to activity occurring within 1.6 km of it, we assumed a
1.6-km buffer would be established to restrict activity adjacent to the
den and there would be no potential for future disturbance. If a den
was detected by an AIR survey after activity occurred within 1.6 km of
it, as long as the activity did not result in a Level A harassment or
lethal take, we assumed a 1.6-km buffer would be applied to prevent
disturbance during future denning periods. For dens exposed to human
activity (i.e., not detected by an AIR survey), we then identified the
stage in the denning cycle when the exposure occurred based on the date
range of the activities the den was exposed to. We then determined
whether the exposure elicited a response by the denning bear based on
probabilities derived from the reviewed case studies (table 5).
Level B harassment was applicable to both adults and cubs, if
present, whereas Level A harassment (i.e., serious injury and non-
serious injury) and lethal take were applicable only to cubs because
the specified activities had a discountable risk of running over dens
and thus killing a female or impacting her future reproductive
potential. The majority of the specified activities occur on
established, permanent infrastructure or in areas that would not be
suitable for denning and, therefore, pose no risk of being run over
(i.e., an existing road or pad). For those activities off permanent
infrastructure (i.e., ice roads and tundra travel routes), crews will
constantly be on the lookout for signs of denning, use vehicle-based
forward-looking infrared cameras to scan for dens, and will largely
avoid crossing topographic features suitable for denning given
operational constraints. Thus, the risk of running over a den was
deemed to have a probability so low that it was discountable.
Based on JADE's description of their specified activities, we only
considered AIR surveys as discrete exposures given that surveys occur
quickly (i.e., the time for an airplane to fly over) and infrequently.
The case studies used to inform the post-emergence period include one
where an individual fell into a den and caused the female to abandon
her cubs. Therefore, we excluded this case study from the calculation
of disturbance probabilities applied to our analysis, which led to a 0
percent probability of lethal take and a 100 percent probability of
non-serious-injury Level A harassment.
If a Level A harassment or lethal take was simulated to occur, a
den was not allowed to be disturbed again during the subsequent denning
periods because the outcome of that denning event was already
determined. As noted above, Level A harassments and lethal takes
applied only to cubs because specified activities would not result in
those levels of take for adult females. Adult females, however, could
still receive Level B takes during the den establishment period or any
time cubs received Level B harassment, Level A harassment (i.e.,
serious injury and non-serious injury), or lethal take.
We developed the code to run this model in program R (R Core
Development Team 2021) and ran 10,000 iterations of the model (i.e.,
Monte Carlo simulation) to derive the estimated number of animals
disturbed and associated levels of take.
Model Results
On average, we estimated 52 (median = 51; 95% CI: 30-79) land-based
dens along the North Slope of Alaska, within which JADE's proposal is
located. Estimates for different levels of harassment takes are
presented in table
[[Page 61308]]
6. We also estimated that Level B harassment from only AIR surveys was
a mean of 0.49 (median = 0; 95% CI: 0-2). The distributions of both
non-serious Level A harassment and serious Level A harassment/lethal
takes were non-normal and heavily skewed, as indicated by markedly
different mean and median values. The heavily skewed nature of these
distributions has led to a mean value that is not representative of the
most common model result (i.e., the median value), which for both non-
serious Level A and serious Level A harassment/lethal takes is 0.0. Due
to the low (0.23 for non-serious Level A and 0.26 for serious Level A
harassment takes) probability of greater than or equal to 1 non-serious
or serious injury Level A harassment/lethal take each year of the
proposed IHA period, combined with the median of 0.0 for each, we do
not estimate the specified activities will result in non-serious-injury
or serious-injury Level A harassment or lethal take of polar bears.
Table 6--Results of the Den Disturbance Model for All Proposed
Activities During the 1-Year IHA Period. Estimates Are Provided for the
Probability, Mean, Median, and 95% Confidence Intervals for Level B, Non-
Serious Level A, and Serious Level A Harassment/Lethal Take. The
Probabilities Represent the Probability of >=1 Take of a Bear Occurring
During a Given Winter
------------------------------------------------------------------------
------------------------------------------------------------------------
Level B harassment................ Probability......... 0.58
Mean................ 1.40
Median.............. 1.0
95% Confidence 0-6
Interval.
Non-Serious Level A............... Probability......... 0.23
Mean................ 0.51
Median.............. 0.0
95% Confidence 0-3
Interval.
Serious Level A/Lethal............ Probability......... 0.26
Mean................ 0.58
Median.............. 0.0
95% Confidence 0-4
Interval.
------------------------------------------------------------------------
Evaluation of Impacts of Oil Spills on Polar Bears
To date, large oil spills from Industry activities in the Beaufort
Sea and coastal regions that would impact polar bears have not
occurred. Even small spills of oil or waste products have the potential
to impact some bears. The effects of fouling fur or ingesting oil or
wastes, depending on the amount of oil or wastes involved, could be
short term or result in death. For example, in April 1988, a dead polar
bear was found on Leavitt Island, northeast of Oliktok Point. The cause
of death was determined to be ingestion of a mixture that included
ethylene glycol and Rhodamine B dye (Amstrup et al. 1989). Again, in
2012, two dead polar bears that had ingested Rhodamine B were found on
Narwhal Island, northwest of Endicott. While those bears' deaths were
clearly human-caused, investigations were unable to identify a source
for the chemicals. Rhodamine B is commonly used on the North Slope of
Alaska by many people for many uses, including Industry. Without
identified sources of contamination, those bear deaths are not
attributed to Industry activity. Thus, we recognize potential impacts
of even small spills of such materials. However, because specified
activities are primarily occurring inland and during the ice season,
thereby reducing the number of polar bears that may come in contact
with any small spills that could occur and not be cleaned up at time of
occurrence, impacts due to oil spills will be very unlikely.
Wilson et al. (2018) analyzed the potential effects of a ``worst
case discharge'' (WCD) on polar bears in the Chukchi Sea. Their WCD
scenario was based on an Industry oil spill response plan for offshore
development in the region and represented underwater blowouts releasing
25,000 barrels of crude oil per day for 30 days beginning in October.
The results of this analysis suggested that between 5 and 40 percent of
a stock of 2,000 polar bears in the Chukchi Sea could be exposed to oil
if a WCD occurred. A similar analysis has not been conducted for the
Beaufort Sea; however, given the extremely low probability (i.e.,
0.0001) that an unmitigated WCD event would occur (BOEM 2016, Wilson et
al. 2017), the likelihood of such effects on polar bears in the
Beaufort Sea is extremely low.
Sum of Take From All Sources
The applicant proposes to conduct mobilization activities, well
drilling, ice road and ice pad construction, and cleanup activities
within the PBU and PTU of the North Slope of Alaska from December 1,
2021, to November 30, 2022. A summary of total estimated take via Level
B harassment during the project by source is provided in table 7. The
potential for lethal or Level A harassment was explored. Lethal take or
Level A harassment would not occur outside of denning bears because the
level of sound and visual stimuli on a bear on the surface would not be
significant enough to result in injury or death. Denning bears,
however, may be subject to repeated exposures, significant energy
expenditure from den abandonment or departure, or potential impacts to
a cub if the den is abandoned or departed prematurely. The probability
of greater than or equal to 1 lethal or serious Level A take of denning
polar bears was 0.25.
Table 7--Total Estimated Level B Harassment Events of Polar Bears and
Source
------------------------------------------------------------------------
Estimated
Source Level B
harassment
------------------------------------------------------------------------
Surface Interactions.................................... 0.21
Denning Impacts......................................... 1.40
---------------
Total............................................... 1.61
------------------------------------------------------------------------
Critical Assumptions
In order to conduct this analysis and estimate the potential amount
of Level B harassment, we made several critical assumptions.
Level B harassment is equated herein with behavioral responses that
indicate harassment or disturbance. There is likely a portion of
animals that respond in ways that indicate some level of disturbance
but do not experience significant biological consequences. Our
estimates do not account for variable responses by polar bear age and
sex; however, sensitivity of denning bears was incorporated into the
analysis. The available information suggests that polar bears are
generally resilient to low
[[Page 61309]]
levels of disturbance. Females with dependent young and juvenile polar
bears are physiologically the most sensitive (Andersen and Aars 2008)
and most likely to experience harassment from disturbance. There is not
enough information on composition of the SBS polar bear stock in the
proposed project area to incorporate individual variability based on
age and sex or to predict its influence on harassment estimates. Our
estimates are derived from a variety of sample populations with various
age and sex structures, and we assume the exposed population will have
a similar composition and, therefore, the response rates are
applicable.
The estimates of behavioral response presented here do not account
for the individual movements of animals away from the project area or
habituation of animals to noise or human presence. Our assessment
assumes animals remain stationary (i.e., density does not change).
There is not enough information about the movement of polar bears in
response to specific disturbances to refine this assumption.
Determinations and Findings
Small Numbers
For our small numbers determination, we consider whether the
estimated number of polar bears to be subjected to incidental take is
small relative to the population size of the species or stock.
1. We estimate JADE's proposed specified activities in the
specified geographic region will take no more than 2 SBS polar bears by
two Level B harassment during the 1-year period of this proposed IHA
(see Estimated Take: Sum of Take from All Sources). Take of 2 animals
is 0.2 percent of the best available estimate of the current SBS stock
size of 907 animals SBS (Bromaghin et al. 2015, Atwood et al. 2020) ((2
/ 907) x 100 [ap] 0.2, and represents a ``small number'' of polar bears
of that stock.
2. Within the specified geographical region, the area of proposed
activity is expected to be small relative to the range of the SBS stock
of polar bears. SBS polar bears range well beyond the boundaries of the
proposed IHA region. As such, the IHA region itself represents only a
subset of the potential area in which this species may occur. Further,
only 17 percent of the IHA area (39,254 ha of 221,179 ha) is estimated
to be impacted by the specified activities, even accounting for a
disturbance zone surrounding industrial facility and transit routes.
Thus, the Service concludes that the area of proposed activity will be
relatively small compared to the range of the SBS stock of polar bears.
Conclusion
Therefore, we propose a finding that JADE's proposed specified
activities will take by level B harassment only small numbers of the
SBS polar bear stock because: (1) Only a small proportion of the polar
bear stock will overlap with the areas where the specified activities
will occur; and (2) only small numbers will be taken by harassment
because the specified activities are limited in spatial and temporal
extent reducing the number of SBS polar bears that could be encountered
in the duration of the proposed IHA.
Negligible Impacts
For our negligible impacts determination, we considered the
following:
1. The distribution and habitat use patterns of polar bears
indicate that relatively few animals will occur in the specified areas
of activity at any particular time and, therefore, few animals are
likely to be affected.
2. The documented impacts of previous Industry activities on polar
bears, taking into consideration cumulative effects, suggests that the
types of activities analyzed for this proposed IHA will have minimal
effects and will be short-term, temporary behavioral changes. The vast
majority of reported polar bear observations have been of polar bears
moving through the proposed IHA region, undisturbed by the Industry
activity.
3. The relatively small area of the specified activities compared
to the ranges of the SBS stock of polar bears will reduce the potential
of their exposure to and disturbance from the specified activities.
4. The Service does not anticipate any lethal or injurious
harassment take that would remove individual polar bears from the
population or prevent their successful reproduction. Incidental
harassment events are anticipated to be limited to human interactions
that lead to short-term behavioral disturbances. These disturbances
would not affect the rates of recruitment or survival for polar bear
stocks. This proposed IHA does not authorize injurious or lethal take,
and we do not anticipate any such take will occur.
5. If this IHA is finalized, the applicant will be required to
adopt monitoring requirements and mitigation measures designed to
reduce the potential impacts of their operations on polar bears. Den
detection surveys for polar bears and adaptive mitigation and
management responses based on real-time monitoring information
(described in this proposed authorization) will be used to avoid or
minimize interactions with polar bears and, therefore, limit potential
disturbance of these animals.
We also considered the specific congressional direction in
balancing the potential for a significant impact with the likelihood of
that event occurring. The specific congressional direction that
justifies balancing probabilities with impacts follows:
If potential effects of a specified activity are conjectural or
speculative, a finding of negligible impact may be appropriate. A
finding of negligible impact may also be appropriate if the probability
of occurrence is low but the potential effects may be significant. In
this case, the probability of occurrence of impacts must be balanced
with the potential severity of harm to the species or stock when
determining negligible impact. In applying this balancing test, the
Service will thoroughly evaluate the risks involved and the potential
impacts on marine mammal populations. Such determination will be made
based on the best available scientific information (53 FR 8474, March
15, 1988; 132 Cong. Rec. S 16305 (October. 15, 1986)).
We reviewed the effects of the oil and gas exploration activities
on polar bears, including impacts from surface interactions, aircraft
overflights, and oil spills. Based on our review of these potential
impacts, past Industry monitoring reports, and the biology and natural
history of polar bear, we conclude that any incidental take reasonably
likely to occur as a result of projected activities will be limited to
short-term behavioral disturbances that would not affect the rates of
recruitment or survival for the polar bear stock.
The probability of an oil spill that will cause significant impacts
to polar bears appears extremely low due to the timing and location of
specified activities. In the unlikely event of a catastrophic spill, we
will take immediate action to minimize the impacts to this species and
reconsider the appropriateness of authorizations for incidental taking
through section 101(a)(5)(A) of the MMPA.
We have evaluated climate change regarding polar bears. Climate
change is a global phenomenon and was considered as the overall driver
of effects that could alter polar bear habitat and behavior. Though
climate change is a pressing conservation issue for polar bears, we
have concluded that the authorized incidental taking of polar bears
during the activities proposed by JADE during this proposed 1-year
authorization will not adversely impact
[[Page 61310]]
the survival of the species, or stock, and will have no more than
negligible effects. The Service is currently involved in research to
understand how climate change may affect polar bears. As we gain a
better understanding of climate change effects, we will incorporate the
information in future authorizations.
Therefore, we propose a finding that two Level B harassments in
association with the specified activities addressed under this proposed
IHA will have no more than a negligible impact on the SBS stock of
polar bears. We do not expect any resulting disturbance to negatively
impact the rates of recruitment or survival for the polar bear stock.
This proposed IHA does not authorize lethal take, and we do not
anticipate that any lethal take will occur.
Least Practicable Adverse Impact
We evaluated the practicability and effectiveness of mitigation
measures based on the nature, scope, and timing of the specified
activities; the best available scientific information; and monitoring
data during Industry activities in the specified geographic region. We
propose a finding that the mitigation measures included within JADE's
Request will ensure least practicable adverse impacts on polar bears
(JADE 2021).
Polar bear den surveys before activities begin during the denning
season, the resulting 1.6-km (1-mi) operational exclusion zone around
all known polar bear dens, and restrictions on the timing and types of
activities in the vicinity of dens will ensure that impacts to denning
female polar bears and their cubs are minimized during this critical
time. Minimum flight elevations over polar bear areas and flight
restrictions around known polar bear dens will reduce the potential for
bears to be disturbed by aircraft. Finally, JADE will implement
mitigation measures to prevent the presence and impact of attractants
such as the use of wildlife-resistant waste receptacles and enclosing
access doors and stairs. These measures are outlined in a polar bear
interaction plan that was developed in coordination with the Service
and is part of JADE's application for this IHA. Based on the
information we currently have regarding den and aircraft disturbance
and polar bear attractants, we concluded that the mitigation measures
outlined in JADE's Request (JADE 2021) and incorporated into this
authorization will minimize impacts from the specified oil and gas
activities to the extent practicable.
A number of mitigation measures were considered but determined to
be not practicable. These measures are listed below:
Required use of helicopters for AIR surveys--Use of
helicopters to survey active dens might lead to greater levels of
disturbance and take compared to fixed-wing aircraft. Additionally,
there is no published data to indicate increased den detection efficacy
of helicopter AIR.
Grounding all flights if they must fly below 1,500 feet--
Requiring all aircraft to maintain an altitude of 1,500 ft at all times
is not practicable as some operations may require flying below 1,500 ft
to perform necessary inspections or maintain safety of flight crew.
Aircraft are required, however, to fly above 1,500 ft at all times,
except for emergencies, within 805 m (0.5 mi) of an observed polar
bear.
Spatial and temporal restrictions on surface activity--
Some spatial and temporal restrictions of operations were included in
JADE's Request; however, additional restrictions would not be
practicable for the specified activities based on other regulatory and
safety requirements.
One-mile buffer around all known polar bear denning
habitat--One-mile buffer around all known polar bear denning habitat is
not practicable as most of the existing infrastructure used by JADE
occurs within 1 mile of denning habitat, and they would not be able to
shut down all operations based on other regulatory and safety
requirements.
Prohibition of driving over high relief areas,
embankments, or stream and river crossings--While the denning habitat
must be considered in tundra travel activities, complete prohibition is
not practicable for safety reasons.
Use of a broader definition of ``denning habitat'' for
operational offsets--There is no available data to support broadening
the defining features of denning habitat beyond that established by
USGS. Such a redefinition would cause an increase in the area surveyed
for maternal dens, and the associated increase in potential harassment
of bears on the surface would outweigh the mitigative benefits.
Establishment of corridors for sow and cub transit to the
sea ice--As there is no data to support the existence of natural
transit corridors to the sea ice, establishment of corridors in the IHA
area would be highly speculative. Therefore, there would be no
mitigative benefit realized by their establishment.
Requirement of third-party neutral marine mammal
observers--It is often not practicable to hire third-party marine
mammal observers due to operational constraints. Additional crew may
require additional transit vehicles, which could increase disturbance.
Require all activities to cease if a polar bear is injured
or killed until an investigation is completed--The Service has
incorporated into this proposed authorization reporting requirements
for all polar bear interactions. While it may aid in any subsequent
investigation, ceasing all activities may not be practicable or safe in
certain circumstances and, thus, will not be mandated.
Require use of den detection dogs--It is not practicable
or safe to require scent-trained dogs to detect dens due to the large
spatial extent that would need to be surveyed along the winter trail
route and project area.
Require the use of handheld or vehicle-mounted Forward
Looking Infrared (FLIR)--The efficacy rates for AIR have been found to
be four times more likely to detect dens versus ground-based FLIR
(handheld or vehicle-mounted FLIR) due to impacts of blowing snow on
detection. There would likely be no additional benefit to requiring
ground-based FLIR methods.
Impact on Subsistence Use
Based on past community consultations, locations of hunting areas,
no anticipated overlap of hunting areas and Industry projects, and the
best scientific information available, including monitoring data from
similar activities, we propose a finding that take caused by the
proposed oil and gas exploration activities in the project area will
not have an unmitigable adverse impact on the availability of polar
bears for taking for subsistence uses during the proposed timeframe.
While polar bears represent a small portion, in terms of the number
of animals, of the total subsistence harvest for the Kaktovik
community, the harvest of these species is important to Alaska Natives.
JADE will be required to contact subsistence communities that may be
affected by its activities to discuss potential conflicts caused by
location, timing, and methods of proposed operations. JADE must make
reasonable efforts to ensure that activities do not interfere with
subsistence hunting and that adverse effects on the availability of
polar bears are minimized. Although past meetings for the proposed
project, prior to being postponed due to the coronavirus pandemic, have
already taken place, no official concerns have been voiced by the
Alaska Native communities regarding project activities limiting
availability of polar bears for
[[Page 61311]]
subsistence uses. However, should such a concern be voiced, development
of Plans of Cooperation (POCs), which must identify measures to
minimize any adverse effects, will be required. The POC will ensure
that project activities will not have an unmitigable adverse impact on
the availability of the species or stock for subsistence uses. This POC
must provide the procedures addressing how JADE will work with the
affected Alaska Native communities and what actions will be taken to
avoid interference with subsistence hunting of polar bears, as
warranted.
The Service has not received any reports and is not aware of
information that indicates that polar bears are being or will be
deterred from hunting areas or impacted in any way that diminishes
their availability for subsistence use by the expected level of oil and
gas activity. If there is evidence that these oil and gas activities
are affecting the availability of polar bears for take for subsistence
uses, we will reevaluate our findings regarding permissible limits of
take and the measures required to ensure continued subsistence hunting
opportunities.
Monitoring and Reporting
The purpose of monitoring requirements is to assess the effects of
project activities on polar bears, ensure that take is consistent with
that anticipated in the negligible impact and subsistence use analyses,
and detect any unanticipated effects on the species or stock.
Monitoring plans document when and how bears are encountered, the
number of bears, and their behavior during the encounter. This
information allows the Service to measure encounter rates and trends of
polar bear activity in the industrial areas (such as numbers and
gender, activity, seasonal use) and to estimate numbers of animals
potentially affected by Industry. Monitoring plans are site-specific,
dependent on the proximity of the activity to important habitat areas,
such as den sites, travel corridors, and food sources; however, JADE is
required to report all sightings of polar bears. To the extent
possible, monitors will record group size, age, sex, reaction, duration
of interaction, and closest approach to facilities onshore. Activities
within the specified geographic region may incorporate daily watch logs
as well, which record 24-hour animal observations throughout the
duration of the project. Polar bear monitors will be incorporated into
the monitoring plan if bears are known to frequent the area or known
polar bear dens are present in the area.
The Service will provide JADE with the most recent and up-to-date
Polar Bear Observation Form in which to record sightings of bears.
Sightings must be reported to the Service Office of Marine Mammal
Management (MMM) within 48 hours of the sighting and submitted to
[email protected]. Details on monitoring guidelines and reporting
requirements can be read below in Proposed Authorization, (C)
Monitoring and (E) Reporting Requirements.
Required Determinations
National Environmental Policy Act (NEPA)
We have prepared a draft environmental assessment in accordance
with the NEPA (42 U.S.C. 4321 et seq.). We have preliminarily concluded
that authorizing the nonlethal, incidental take by Level B harassment
of up to two polar bears from the SBS stock in the specified geographic
region during the specified activities during the regulatory period
would not significantly affect the quality of the human environment
and, thus, preparation of an environmental impact statement for this
incidental harassment authorization is not required by section 102(2)
of NEPA or its implementing regulations. We are accepting comments on
the draft environmental assessment as specified above in DATES and
ADDRESSES.
Endangered Species Act
Under the ESA (16 U.S.C. 1536(a)(2)), all Federal agencies are
required to ensure the actions they authorize are not likely to
jeopardize the continued existence of any threatened or endangered
species or result in destruction or adverse modification of critical
habitat. Prior to issuance of this proposed IHA, the Service will
complete intra-Service consultation under section 7 of the ESA on our
proposed issuance of an IHA. These evaluations and findings will be
made available on the Service's website at https://ecos.fws.gov/ecp/report/biological-opinion. The authorization of incidental take of
polar bears and the measures included in the proposed IHA will not
affect other listed species or designated critical habitat.
Government-to-Government Coordination
It is our responsibility to communicate and work directly on a
Government-to-Government basis with federally recognized Alaska Native
Tribes and Alaska Native Claims Settlement Act (ANCSA) corporations in
developing programs for healthy ecosystems. We seek their full and
meaningful participation in evaluating and addressing conservation
concerns for protected species. It is our goal to remain sensitive to
Alaska Native culture, and to make information available to Alaska
Natives. Our efforts are guided by the following policies and
directives: (1) The Native American Policy of the Service (January 20,
2016); (2) The Alaska Native Relations Policy (currently in draft
form); (3) Executive Order 13175 (January 9, 2000); (4) Department of
the Interior Secretarial Orders 3206 (June 5, 1997), 3225 (January 19,
2001), 3317 (December 1, 2011), and 3342 (October 21, 2016); (5) The
Alaska Government-to-Government Policy (a departmental memorandum
issued January 18, 2001); and (6) the Department of the Interior's
policies on consultation with Alaska Native Tribes and organizations.
We have evaluated possible effects of the specified activities on
federally recognized Alaska Native Tribes and organizations. Through
the IHA process identified in the MMPA, the applicant has presented a
communication process, culminating in a POC if needed, with the Native
organizations and communities most likely to be affected by their work.
The Service does not anticipate impacts to Alaska Native Tribes or
ANCSA corporations and does not anticipate requesting consultation;
however, we invite continued discussion, either about the project and
its impacts or about our coordination and information exchange
throughout the IHA/POC process.
Proposed Authorization
We propose to authorize the nonlethal, incidental take by Level B
harassment of two SBS stock polar bears. Authorized take will be
limited to disruption of behavioral patterns that may be caused by oil
and gas exploration and support activities conducted by JADE Energy
Inc. (JADE) in the Prudhoe Bay Unit (PBU) and the Point Thomson Unit
(PTU) of the North Slope of Alaska, from December 1, 2021, through
November 30, 2022. We do not anticipate or authorize any take by Level
A harassment, injury, or death to polar bears resulting from these
activities.
A. General Conditions for This IHA
(1) Activities must be conducted in the manner described in the
request dated August 2, 2021, for an IHA and in accordance with all
applicable conditions and mitigation measures. The taking of polar
bears whenever the required conditions, mitigation, monitoring, and
reporting measures are
[[Page 61312]]
not fully implemented as required by the IHA is prohibited. Failure to
follow the measures specified both in the revised request and within
this proposed authorization may result in the modification, suspension,
or revocation of the IHA.
(2) If project activities cause unauthorized take (i.e., take of
more than two polar bears, a form of take other than Level B
harassment, or take of one or more polar bears through methods not
described in the IHA), JADE must take the following actions: (i) Cease
its activities immediately (or reduce activities to the minimum level
necessary to maintain safety); (ii) report the details of the incident
to the Service within 48 hours; and (iii) suspend further activities
until the Service has reviewed the circumstances and determined whether
additional mitigation measures are necessary to avoid further
unauthorized taking.
(3) All operations managers, vehicle operators, and aircraft pilots
must receive a copy of this IHA and maintain access to it for reference
at all times during project work. These personnel must understand, be
fully aware of, and be capable of implementing the conditions of the
IHA at all times during project work.
(4) This IHA will apply to activities associated with the proposed
project as described in this document and in JADE's revised request.
Changes to the proposed project without prior authorization may
invalidate the IHA.
(5) JADE's request is approved and fully incorporated into this
IHA, unless exceptions are specifically noted herein. The request
includes:
JADE's original request for an IHA, dated May 19, 2021
(JADE 2021);
The letters requesting additional information, dated May
25, 2021;
JADE's responses to requests for additional information
from the Service, dated May 25, 2021;
JADE's revised request for an IHA, dated June 9, 2021;
JADE's revised request for an IHA, dated August 2, 2021;
and
The JADE Exploration and Appraisal Program Wildlife
Avoidance and Interaction Plan (Appendix A in JADE 2021).
(6) Operators will allow Service personnel or the Service's
designated representative to visit project work sites to monitor for
impacts to polar bears and subsistence uses of polar bears at any time
throughout project activities so long as it is safe to do so.
``Operators'' are all personnel operating under JADE's authority,
including all contractors and subcontractors.
B. Avoidance and Minimization
JADE must implement the following policies and procedures to avoid
interactions with and minimize to the greatest extent practicable any
adverse impacts on polar bears, their habitat, and the availability of
these marine mammals for subsistence uses.
(a) General avoidance measures.
(1) JADE must cooperate with the Service and other designated
Federal, State, and local agencies to monitor and mitigate the impacts
of activities on polar bears.
(2) Trained and qualified personnel must be designated to monitor
at all times for the presence of polar bears, initiate mitigation
measures, and monitor, record, and report the effects of the activities
on polar bears. JADE must provide all operators with polar bear
awareness training prior to their participation in project activities.
Delivery of this polar bear awareness training must include Service
participation.
(3) A Service-approved polar bear safety, awareness, and
interaction plan must be on file with the Service Marine Mammal
Management office and available onsite. The interaction plan must
include:
(i) A description of the proposed activity (i.e., a summary of the
plan of operations during the proposed activity);
(ii) A food, waste, and other attractants management plan;
(iii) Personnel training policies, procedures, and materials;
(iv) Site-specific polar bear interaction risk evaluation and
mitigation measures;
(v) Polar bear avoidance and encounter procedures; and
(vi) Polar bear observation and reporting procedures.
(4) JADE must contact potentially affected subsistence communities
and hunter organizations to discuss potential conflicts caused by the
activities and provide the Service documentation of communications as
described in (D) Measures To Reduce Impacts to Subsistence Users.
(b) Mitigation measures for onshore activities. JADE must undertake
the following activities to limit disturbance around known polar bear
dens:
(1) Attempt to locate bear dens. JADE must conduct two surveys for
occupied polar bear dens in all denning habitat within 1.6 km (1 mi) of
specified activities using AIR imagery. The first survey must occur
prior to construction activities between the dates of November 25 and
December 15, and a second survey must be performed between the dates of
December 5 and December 31. All observed or suspected polar bear dens
must be reported to the Service prior to the initiation of activities.
(i) AIR surveys will be conducted during darkness or civil twilight
and not during daylight hours. Ideal environmental conditions during
surveys would be clear, calm, and cold. If there is blowing snow, any
form of precipitation, or other sources of airborne moisture, use of
AIR detection is not advised. Flight crews will record and report
environmental parameters including air temperature, dew point, wind
speed and direction, cloud ceiling, and percent humidity, and a flight
log will be provided to the Service within 48 hours of the flight.
(ii) A scientist experienced in interpreting AIR imagery will be on
board the survey aircraft to analyze the AIR data in real-time. The
data (infrared video) will be available for viewing by the Service
immediately upon return of the survey aircraft to the base of
operations in Deadhorse, Alaska. Data will be transmitted
electronically to the Service in Anchorage for review.
(iii) If a suspected den site is located, JADE will immediately
consult with the Service to analyze the data and determine if
additional surveys or mitigation measures are required. All located
dens will be subject to the 1.6-km (1.0-mi) exclusion zone as described
in paragraph (b)(1) of this section. The Service will determine whether
the suspected den is to be treated as a putative den for the purposes
of this IHA.
(2) Observe 1-mile operational exclusion zone around known polar
bear dens. Operators must observe a 1.6-km (1-mi) operational exclusion
zone around all putative polar bear dens during the denning season
(November-April, or until the female and cubs leave the areas). Should
previously unknown occupied dens be discovered within 1 mile of
activities, work must cease, and the Service contacted for guidance.
The Service will evaluate these instances on a case-by-case basis to
determine the appropriate action. Potential actions may range from
cessation or modification of work to conducting additional monitoring,
and the holder of the authorization must comply with any additional
measures specified.
(3) Use the den habitat map developed by the USGS. In determining
the denning habitat that requires surveys, use the den habitat map
developed by the USGS. A map of potential coastal polar bear denning
habitat can be found at: https://www.usgs.gov/centers/asc/science/
polar-bear-maternal-denning?qt-
[[Page 61313]]
science_center_objects=4#qt-science_center_objects.
(4) Temporal restriction after July 18. Proposed cleanup activities
must conclude prior to July 19 to reduce the likelihood of disturbance
to polar bears and potential for human-polar bear interactions.
(c) Mitigation measures for aircraft.
(1) Aircraft elevation and flight path restrictions to avoid
disturbance. Operators of support aircraft should, at all times,
conduct their activities at the maximum distance practicable from
concentrations of polar bears. Under no circumstances, other than an
emergency, will aircraft operate at an altitude lower than 457 m (1,500
ft) within 805 m (0.5 mi) of polar bears observed on ice or land
measured in a straight line between the bear and the ground directly
underneath the plane. Aircraft may be operated below 457 m (1,500 ft)
only when necessary to avoid adverse weather conditions. However, when
weather conditions necessitate operation of aircraft at altitudes below
457 m (1,500 ft), the operator must avoid areas of known polar bear
concentrations and should take precautions to avoid flying directly
over or within 805 m (0.5 mile) of these areas.
(2) Aircraft landing and take-off spatial restrictions. Aircraft
will not land within 805 m (0.5 mi) of a polar bear. If a polar bear is
observed while the aircraft is grounded, personnel will board the
aircraft and leave the area. The pilot will also avoid flying over the
polar bear if possible. Pilots should avoid making any sudden
maneuvers, especially when traveling at lower altitudes, even if such
maneuvers are intended to avoid polar bears. The Service recommends
that if a polar bear is spotted within the landing zone or work area,
aircraft operators travel away from the site, and slowly increase
altitude to 1,500 ft or a level that is safest and viable given current
traveling conditions. Aircraft may not be operated in such a way as to
separate individual polar bears from a group of polar bears.
C. Monitoring
(1) Operators must provide onsite observers and implement the
Service-approved polar bear avoidance and interaction plan to apply
mitigation measures, monitor the project's effects on polar bears and
subsistence uses, and to evaluate the effectiveness of mitigation
measures.
(2) All onsite observers shall complete a Service-provided training
course designed to familiarize individuals with monitoring and
mitigation activities identified in the polar bear avoidance and
interaction plan.
(3) Onsite observers must be present during all operations and must
record all polar bear observations, identify and document potential
harassment, and work with personnel to implement appropriate mitigation
measures.
(4) Operators shall cooperate with the Service and other designated
Federal, State, and local agencies to monitor the impacts of project
activities on polar bears. Where information is insufficient to
evaluate the potential effects of activities on polar bears and the
subsistence use of this species, JADE may be required to participate in
joint monitoring efforts to address these information needs and ensure
the least practicable impact to this resource.
(5) Operators must allow Service personnel or the Service's
designated representative to visit project work sites to monitor
impacts to polar bear and subsistence use at any time throughout
project activities so long as it is safe to do so.
D. Measures To Reduce Impacts to Subsistence Users
JADE must conduct its activities in a manner that, to the greatest
extent practicable, minimizes adverse impacts on the availability of
polar bears for subsistence uses.
(1) JADE will be required to develop a Service-approved Plan of
Cooperation (POC) if, through community consultation, concerns are
raised regarding impacts to subsistence harvest or Alaska Native Tribes
and organizations.
(2) If required, JADE will implement the Service-approved POC.
(3) Prior to conducting the work, JADE will take the following
steps to reduce potential effects on subsistence harvest of polar
bears: (i) Avoid work in areas of known polar bear subsistence harvest;
(ii) discuss the planned activities with subsistence stakeholders
including the North Slope Borough, the Native Village of Kaktovik, the
State of Alaska, the Service, the Bureau of Land Management, and other
interested parties on a Federal, State, and local regulatory level;
(iii) identify and work to resolve concerns of stakeholders regarding
the project's effects on subsistence hunting of polar bears; (iv) if
any unresolved or ongoing concerns remain, modify the POC in
consultation with the Service and subsistence stakeholders to address
these concerns; and (v) develop mitigation measures that will reduce
impacts to subsistence users and their resources.
E. Reporting Requirements
JADE must report the results of monitoring to the Service MMM via
email at: [email protected].
(1) In-season monitoring reports.
(i) Activity progress reports. JADE must:
(A) Notify the Service at least 48 hours prior to the onset of
activities;
(B) Provide the Service weekly progress reports summarizing
activities. Reports must include GPS/GIS tracks of all vehicles
including scout vehicles in .kml or .shp format with time/date stamps
and metadata.
(C) Notify the Service within 48 hours of project completion or end
of the work season.
(ii) Polar bear observation reports. JADE must report, within 48
hours, all observations of polar bears and potential polar bear dens
during any project activities including AIR surveys. Upon request,
monitoring report data must be provided in a common electronic format
(to be specified by the Service). Information in the observation report
must include, but need not be limited to:
(A) Date and time of each observation;
(B) Locations of the observer and bears (GPS coordinates if
possible);
(C) Number of polar bears;
(D) Sex and age class--adult, subadult, cub (if known);
(E) Observer name and contact information;
(F) Weather, visibility, and if at sea, sea state, and sea-ice
conditions at the time of observation;
(G) Estimated closest distance of polar bears from personnel and
facilities;
(H) Type of work being conducted at time of sighting;
(I) Possible attractants present;
(J) Polar bear behavior--initial behavior when first observed
(e.g., walking, swimming, resting, etc.);
(K) Potential reaction--behavior of bear potentially in response to
presence or activity of personnel and equipment;
(L) Description of the encounter;
(M) Duration of the encounter; and
(N) Mitigation actions taken.
(2) Notification of human-bear interaction incident report. JADE
must report all human-bear interaction incidents immediately, and not
later than 48 hours after the incident. A human-bear interaction
incident is any situation in which there is a possibility for
unauthorized take. For instance, when project activities exceed those
included in an IHA, when a mitigation measure was required but not
enacted, or when injury or death of a polar bear occurs. Reports must
include:
(i) All information specified for an observation report in
paragraphs (1)(ii)(A)-(N) of this section E;
[[Page 61314]]
(ii) A complete detailed description of the incident; and
(iii) Any other actions taken.
Injured, dead, or distressed polar bears that are clearly not
associated with project activities (e.g., animals found outside the
project area, previously wounded animals, or carcasses with moderate to
advanced decomposition or scavenger damage) must also be reported to
the Service immediately, and not later than 48 hours after discovery.
Photographs, video, location information, or any other available
documentation must be included.
(3) Final report. The results of monitoring and mitigation efforts
identified in the polar bear avoidance and interaction plan must be
submitted to the Service for review within 90 days of the expiration of
this IHA. Upon request, final report data must be provided in a common
electronic format (to be specified by the Service). Information in the
final report must include, but need not be limited to:
(i) Copies of all observation reports submitted under the IHA;
(ii) A summary of the observation reports;
(iii) A summary of monitoring and mitigation efforts including
areas, total hours, total distances, and distribution;
(iv) Analysis of factors affecting the visibility and detectability
of polar bears during monitoring;
(v) Analysis of the effectiveness of mitigation measures;
(vi) A summary and analysis of the distribution, abundance, and
behavior of all polar bears observed; and
(vii) Estimates of take in relation to the specified activities.
Request for Public Comments
If you wish to comment on this proposed authorization, the
associated draft environmental assessment, or both documents, you may
submit your comments by either of the methods described in ADDRESSES.
Please identify if you are commenting on the proposed authorization,
draft environmental assessment, or both, make your comments as specific
as possible, confine them to issues pertinent to the proposed
authorization, and explain the reason for any changes you recommend.
Where possible, your comments should reference the specific section or
paragraph that you are addressing. The Service will consider all
comments that are received before the close of the comment period (see
DATES). The Service does not anticipate extending the public comment
period beyond the 30 days required under section 101(a)(5)(D)(iii) of
the MMPA.
Comments, including names and street addresses of respondents, will
become part of the administrative record for this proposal. Before
including your address, telephone number, email address, or other
personal identifying information in your comment, be advised that your
entire comment, including your personal identifying information, may be
made publicly available at any time. While you can ask us in your
comments to withhold from public review your personal identifying
information, we cannot guarantee that we will be able to do so.
Karen Cogswell,
Acting Regional Director, Alaska Region.
[FR Doc. 2021-24371 Filed 11-3-21; 4:15 pm]
BILLING CODE 4333-15-P