Takes of Marine Mammals Incidental to Specified Activities; Taking Marine Mammals Incidental to Tugs Towing Drill Rig in Cook Inlet, Alaska, 62364-62395 [2022-22343]
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Federal Register / Vol. 87, No. 198 / Friday, October 14, 2022 / Notices
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
[RTID 0648–XC359]
Takes of Marine Mammals Incidental to
Specified Activities; Taking Marine
Mammals Incidental to Tugs Towing
Drill Rig in Cook Inlet, Alaska
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Notice; issuance of incidental
harassment authorizations.
AGENCY:
In accordance with the
regulations implementing the Marine
Mammal Protection Act (MMPA) as
amended, notification is hereby given
that NMFS has issued two incidental
harassment authorizations (IHAs) to
Hilcorp Alaska LLC to incidentally
harass, by Level B harassment only,
marine mammals during tugs towing
jack-up rig activity in Cook Inlet,
Alaska.
SUMMARY:
These authorizations are
effective from September 14, 2022
through September 13, 2023 and
September 14, 2023 through September
13, 2024.
FOR FURTHER INFORMATION CONTACT: Sara
Young, Office of Protected Resources,
NMFS, (301) 427–8401. Electronic
copies of the application and supporting
documents, as well as a list of the
references cited in this document, may
be obtained online at: https://
www.fisheries.noaa.gov/permit/
incidental-take-authorizations-undermarine-mammal-protection-act. In case
of problems accessing these documents,
please call the contact listed above.
SUPPLEMENTARY INFORMATION:
DATES:
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Background
The MMPA prohibits the ‘‘take’’ of
marine mammals, with certain
exceptions. Sections 101(a)(5)(A) and
(D) of the MMPA (16 U.S.C. 1361 et
seq.) direct the Secretary of Commerce
(as delegated to NMFS) to allow, upon
request, the incidental, but not
intentional, taking of small numbers of
marine mammals by U.S. citizens who
engage in a specified activity (other than
commercial fishing) within a specified
geographical region if certain findings
are made and either regulations are
proposed or, if the taking is limited to
harassment, a notice of a proposed
incidental harassment authorization is
provided to the public for review.
Authorization for incidental takings
shall be granted if NMFS finds that the
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taking will have a negligible impact on
the species or stock(s) and will not have
an unmitigable adverse impact on the
availability of the species or stock(s) for
taking for subsistence uses (where
relevant). Further, NMFS must prescribe
the permissible methods of taking and
other ‘‘means of effecting the least
practicable adverse impact’’ on the
affected species or stocks and their
habitat, paying particular attention to
rookeries, mating grounds, and areas of
similar significance, and on the
availability of the species or stocks for
taking for certain subsistence uses
(referred to in shorthand as
‘‘mitigation’’); and requirements
pertaining to the mitigation, monitoring
and reporting of the takings are set forth.
The definitions of all applicable MMPA
statutory terms cited above are included
in the relevant sections below.
Summary of Request
NMFS previously issued Incidental
Take Regulations (ITRs) to Hilcorp for a
suite of oil and gas activities in Cook
Inlet, Alaska (84 FR 37442, July 31,
2019) and issued three letters of
authorization (LOAs) under those ITRs.
The ITRs covered activities including:
two-dimensional (2D) and threedimensional (3D) seismic surveys,
geohazard surveys, and vibratory sheet
pile driving. On September 17, 2019,
Cook Inletkeeper and the Center for
Biological Diversity filed suit in the
District of Alaska challenging NMFS’s
issuance of the ITRs and LOAs and
supporting documents (the
Environmental Assessment (EA) and
Endangered Species Act (ESA)
Biological Opinion). In a decision
issued on March 30, 2021, the court
ruled largely in NMFS’s favor, but found
a lack of adequate support in NMFS’s
record for the agency’s determination
that tug towing of drill rigs in
connection with production activity
will not cause take of beluga whales and
remanded back to NMFS for further
analysis of tug use under the MMPA,
ESA, and National Environmental
Policy Act (NEPA).
Hilcorp notified NMFS that all
activities described in their initial ITR
application (2018) and for which
incidental take was authorized have
already been completed or will not be
completed under the ITRs. Accordingly,
NMFS has begun the process of
withdrawing the 2019 ITRs. As a result,
the only remaining activity to be
analyzed for incidental take and
authorization thereof is the use of tugs
towing a jack-up rig.
On January 13, 2022, NMFS received
a request from Hilcorp for two back-toback IHAs to take marine mammals
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incidental to tugs towing a drill rig in
Cook Inlet, Alaska. The application was
deemed adequate and complete on
March 8, 2022. Hilcorp’s request is for
take of small numbers of 12 species of
marine mammals by Level B harassment
only. Neither Hilcorp nor NMFS expects
serious injury or mortality to result from
this activity and, therefore, IHAs are
appropriate.
As described in our Federal Register
notice of proposed IHAs (87 FR 27597,
May 9, 2022), NMFS considered the
potential effects of tug towing a jack-up
rig on marine mammals. The slow,
predictable, and generally straight path
of this tug configuration makes it
unlikely that marine mammals would be
exposed to the tugs towing a jack-up rig
such that harassment would occur.
However, there is overall potential for
exposure in combination with the
nature of the tug and jack-up rig
configuration (e.g., difficult to
maneuver, potential need to operate at
night), making it possible that take
could occur over the total estimated
period of tug activities. Because of this
possibility, NMFS proposed take by
Level B harassment from Hilcorp’s use
of tugs towing a jack-up rig in Cook
Inlet, Alaska.
In a letter dated April 28, 2022,
Hilcorp notified NMFS of their need to
begin tugging the jack-up rig in May due
to depleted energy reserves for the
Southcentral Alaska region. NMFS
concurred with Hilcorp’s assessment
that take of marine mammals by Level
B harassment was unlikely to occur
incidental to the transport of the jack-up
rig from the Rig Tender’s Dock in
Nikiski to the Tyonek platform in
middle Cook Inlet, as described in
Hilcorp’s letter. Hilcorp completed one
move of their jack-up rig during the time
that NMFS processed the request for
IHAs; this rig move was included in
Hilcorp’s original application and was
factored into our exposure estimate
calculations accordingly. We have
therefore removed that portion of the rig
move from our analysis as it was already
completed. Please refer to the Changes
from Proposed IHAs to Final IHAs
section later in this document for
additional discussion. Below we discuss
the IHAs as issued.
Description of Activity
Overview
Hilcorp Alaska, LLC (Hilcorp) plans
to carry out activities that will occur
during two separate consecutive oneyear IHA periods—from September 1,
2022, to August 31, 2023 (Year 1), and
from September 1, 2023, to August 31,
2024 (Year 2). Hilcorp plans to use three
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Federal Register / Vol. 87, No. 198 / Friday, October 14, 2022 / Notices
ocean-going tugs to tow a jack-up rig in
support of plugging and abandonment
(P&A) of an existing well and to support
production drilling at other locations in
middle Cook Inlet and Trading Bay over
the course of 2 years.
Dates and Duration
The schedule for Hilcorp’s P&A and
production drilling activities is
provided in Table 1 below. The noiseproducing rig-towing activities for
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which take is authorized would occur in
between those activities, for
approximately 14 days per year for Year
1 and 16 days for Year 2.
TABLE 1—DATES AND DURATIONS OF PLANNED ACTIVITIES IN COOK INLET
Project type
Year 1:
Plug and Abandonment of Well
17589.
Production Drilling .............................
Year 2:
Production Drilling .............................
Duration of
activity *
Cook Inlet region
Timing
Middle Cook Inlet .....................................
April–November .......................................
30 days.
Middle Cook Inlet Trading Bay ................
April–November .......................................
180 days.
Middle Cook Inlet Trading Bay ................
April–November .......................................
180 days.
* Duration is in reference to the supported activity that requires the jack-up rig to be in a specific location. It is not reflective of the duration or
the number of days the jack-up rig is towed.
Specific Geographic Region
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Hilcorp’s activities will take place in
Cook Inlet, Alaska. For the purposes of
this project, lower Cook Inlet refers to
waters south of the East and West
Forelands; middle Cook Inlet refers to
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waters north of the East and West
Forelands and south of Threemile River
on the west and Point Possession on the
east; Trading Bay refers to waters from
approximately the Granite Point Tank
Farm on the north to the West Foreland
on the south; and upper Cook Inlet
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refers to waters north and east of Beluga
River on the west and Point Possession
on the east. A map of the specific area
in which Hilcorp plans to operate is
provided in Figure 1 below.
BILLING CODE 3510–22–P
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1S1'0'0"W
151'0 30'0"W
1S2"0'0"W
Onshore 1:11t~rp Fa011ff!es:
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Alaska Albers NAO 1983
Cook Inlet, Alaska
Existing Hilcorp Assets
Action Area
3800 Centerpoint Dr. Suite 1400
Anchorage, AK 00503
Map Date: 2!2112022
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BILLING CODE 3510–22–C
Detailed Description of Specific Activity
Hilcorp plans to use three tugs to pull
and position a jack-up rig in support of
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well plugging and abandonment (P&A)
and support of production drilling by
using the rig as a temporary drilling
platform. Hilcorp plans to use the jackup rig Spartan 151, or similar. A jack-
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up rig is a type of mobile offshore drill
unit used in offshore oil and gas drilling
activities. It is comprised of a buoyant
mobile platform or hull with moveable
legs that are adjusted to raise and lower
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Figure 1 -- Map ofHilcorp's Activity Location
Federal Register / Vol. 87, No. 198 / Friday, October 14, 2022 / Notices
the hull over the surface of the water.
The Spartan 151 (or similar) will be
towed via three ocean-going tugs. The
horsepower (hp) of each of the three
tugs used to tow the jack-up rig may
range between 4,000 and 8,000. Three
tugs are needed to safely and effectively
pull the jack-up rig into the correct
position where it can be temporarily
secured to the seafloor. Specifications of
the tugs anticipated for use are provided
in Table 2 below. If these specific tugs
are not available, the tugs contracted
would be of similar size and power to
those listed in Table 2.
TABLE 2—DESCRIPTION OF TUGS
TOWING THE JACK-UP RIG
Vessel name
Specifications
M/V Bering
Wind.
M/V Anna T ...
22-m length x 10-m breadth,
144 gross tonnage.
32-m length x 11-m breadth,
160 gross tonnage.
37-m length x 11-m breadth,
196 gross tonnage.
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M/V Bob Franco.
The amount of time the tugs are under
load transiting, holding, and positioning
the jack-up rig in Cook Inlet is tidedependent. The power output of the
tugs depends on whether the tugs are
towing with or against the tide and can
vary across a tide cycle as the current
increases or decreases in speed over
time. Hilcorp will make every effort to
transit with the tide (which requires
lower power output) and minimize
transit against the tide (which requires
higher power output).
The jack-up rig will be transported via
towing by three ocean-going tugs, with
final demobilization at the Rig Tenders
Dock in Nikiski, Alaska (where
mobilization began). Towing the jack-up
rig northward with an incoming tide or
southward with an outgoing tide
requires less than half power, generally
only 20 to 30 percent of total power
output (Durham 2021, pers. comm.). A
high slack tide is preferred to position
the jack-up rig on an existing platform
or well site. The relatively slow current
and calm conditions at a slack tide
enable the tugs to perform the fine
movements necessary to safely position
the jack-up rig within several feet of the
platform. Positioning and securing the
jack-up rig is generally performed at
high slack tide rather than low slack
tide to pin the legs down at an adequate
height to ensure the hull of the jack-up
rig remains above the water level of the
subsequent incoming high tide. Because
12 hours elapse between each high slack
tide, tugs are generally under load for
those 12 hours during rig mobilization
and demobilization, even if the towed
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distance is small, as high slack tides are
preferred to both attach and detach the
jack-up rig from the tugs. Once the tugs
are on location with the jack-up rig at
high slack tide (12 hours from the
previous departure), there is a 1 to 2hour window when the tide is slow
enough for the tugs to initiate
positioning the jack-up rig and pin the
legs to the seafloor on location. The tugs
are estimated to be under load, generally
at half-power conditions or less, for up
to 14 hours from the time of departure
through the initial positioning attempt
of the jack-up rig. If the first positioning
attempt takes longer than anticipated,
the increasing current speed prevents
the tugs from safely positioning the jackup rig on location. If the first
positioning attempt is not successful,
the jack-up rig will be pinned down at
a nearby location and the tugs will be
released from the jack-up rig and no
longer under load. The tugs will remain
nearby, generally floating with the
current. Approximately an hour before
the next high slack tide, the tugs will reattach to the jack-up rig and reattempt
positioning over a period of 2 to 3
hours. Positioning activities are
generally at half power. If a third
attempt is needed, the tugs would be
under load holding or positioning the
jack-up rig on a second day for up to 5
hours. The vast majority of the time, the
jack-up rig can be successfully
positioned over the platform in one or
two attempts.
A location-to-location transport (e.g.,
platform-to-platform) of a jack-up rig is
conducted similarly to the mobilization
from the Rig Tenders Dock described
above with one main difference. In a
location-to-location transport in middle
Cook Inlet or Trading Bay, there is no
harbor available for temporary staging to
avoid transiting against the tide.
Maintaining position of the jack-up rig
against the tidal current can require
more than half power (up to 90 percent
power at the peak tidal outflow).
However, greater than half power effort
is only needed for short periods of time
during the maximum tidal current,
expected to be no more than 3 hours
maximum. During a location-to-location
transport, the tugs will transport the
jack-up rig traveling with the tide in
nearly all circumstances except in
situations that threaten human safety
and/or infrastructure integrity. There
may be a situation wherein the tugs
pulling the jack-up rig begin transiting
with the tide to their next location, miss
the tide window to safely set the jackup rig on the platform or pin it nearby,
and so have to transport the jack-up rig
against the tide to a safe harbor. Tugs
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may also need to transport the jack-up
rig against the tide if large pieces of ice
or extreme wind events threaten the
stability of the jack-up rig on the
platform.
Although the variability in power
output from the tugs can range from an
estimated 20 percent to 90 percent
throughout the hours under load with
the jack-up rig, as described above, the
majority of the hours (spent transiting,
holding, and positioning) occur at half
power or less. See the Estimated Take
section below for more detail on
assumptions related to power output.
Year 1—For the first year of activity,
Hilcorp will use three tugs to pull the
jack-up rig for P&A of Well 17589,
which began in 2021 but was not
completed due to equipment sourcing
issues. Prior to pinning the jack-up rig
legs to the seafloor, a multi-beam sonar
may be used to ensure the seafloor is
clear of debris that may impact the
ability to pin down the legs of the
platform. The multi-beam echosounder
emits high frequency (240 kilohertz
(kHz)) energy in a fan-shaped pattern of
equidistant or equiangular beam
spacing. The multi-beam sonar operates
at a frequency outside of marine
mammal hearing range and is not
addressed further in our analysis. After
the rig is secure, divers enter the water
and use hand tools to complete the P&A
process. In addition to the hand tools,
the divers will also use water jets to
wash away debris and marine growth on
the structure (e.g., a CaviDyne
CaviBlaster). Based on measurements
conducted by Hilcorp during 2017 use
of water jets, the source level for the
CaviBlaster® was estimated as 176
decibels (dB) re 1 micropascal (mPa) root
mean square (rms) with a Level B
harassment threshold of 860 m, with
most energy concentrated above 500 Hz
with a dominant tone near 2 kHz.
Hilcorp plans to put a protected species
observer (PSO) on watch to monitor the
full extent of the harassment zone and
shutdown when a marine mammal
approaches the zone during water jet
use. Because of this, Hilcorp is not
requesting take associated with water jet
use and it is not considered further in
our analysis.
Hilcorp also plans to tug the jack-up
rig to existing platforms in middle Cook
Inlet and Trading Bay in support of
production drilling activities from
existing platforms and wellbores.
Production drilling itself creates some
small level of noise due to the use of
generators and other potentially noisegenerating equipment. Furie Operating
Alaska, LLC, performed detailed
underwater acoustic measurements in
the vicinity of the Spartan 151 in 2011
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(Marine Acoustics Inc., 2011) northeast
of Nikiski Bay in water depths of 24.4
to 27.4 m (80 to 90 ft). Primary sources
of rig-based acoustic energy were
identified as coming from the D399/
D398 diesel engines, the PZ–10 mud
pump, ventilation fans, and electrical
generators. The source level of one of
the loudest acoustic sources, the diesel
engines, was estimated to be 137 dB re
1 mPa rms at 1 m in the 141 to 178 Hz
frequency range. Based on this
measured level, the 120 dB rms acoustic
received level isopleth would be
approximately 50 m away from where
the energy enters the water (jack-up leg
or drill riser). Sound source levels were
also measured by JASCO (a company)
for drilling and mud pumping from the
Yost jack-up rig in 2016. The primary
sources of continuous sounds measured
from the Yost were drilling (158 dB) and
mu167d pumping (148.4 dB), producing
120 dB isopleths of 330 and 225 meters,
respectively. The acoustic energy of
drilling noise was found to be
predominantly under 500 Hz (Denes
and Austin, 2016a). Denes and Austin
(2016) did not record other rig-based
activities including cementing, running
casing, and tripping in and out of the
hole with drill string; however, these
activities may also produce sounds
similar to mud pumping. There is open
water in all directions from the drilling
location. Additionally, Hilcorp plans to
monitor the area around the drilling
platform for 30 minutes prior to starting
drilling activities and delay their
activity if marine mammals are seen
close to the platform. Any marine
mammal approaching the rig would be
fully aware of its presence long before
approaching or entering the zone of
influence for behavioral harassment,
and we are unaware of any specifically
important habitat features (e.g.,
concentrations of prey or refuge from
predators) within the rig’s zone of
influence that would encourage marine
mammal use and exposure to higher
levels of noise closer to the source.
Given the absence of any activity-,
location-, or species-specific
circumstances or other contextual
factors that would increase concern, we
do not expect routine drilling noise to
result in the take of marine mammals.
In support of these activities,
helicopters and support vessels transit
from the mainland to the production
sites to mobilize personnel and
supplies. Helicopters will fly at 1,500 ft
(457 m) or higher unless human safety
is at risk or it is operationally
impossible (e.g., takeoff and landing
points are so close together the aircraft
cannot reach 1,500 ft or 30 m). During
take-off and landing of a helicopter, it is
expected that only a small amount of
sound would penetrate the water
because the helicopter will be moving
vertically over the helipad and most of
the sound is reflected and does not
penetrate at angles greater than 13
degrees from vertical. Additionally, the
platforms that helicopters are navigating
to/from are already 100 or more feet
above sea level, further reducing
potential for harassment of marine
mammals such that take is not requested
nor authorized. Vessel trips to and from
the location of the jack-up rig are
expected to increase by two trips per
day above normal activity levels.
Hilcorp plans to maintain watch for
marine mammals during supply vessel
trips, stay at least 100 yards (91 m) away
from marine mammals, reduce speed in
poor visibility, and handle supply
vessels such that an encounter with a
marine mammal is unlikely and
additional take for supply vessel
activities is not requested nor
authorized.
Year 2—For the second year of
activity, Hilcorp does not plan to
conduct P&A activities with the jack-up
rig and will only be tugging the jack-up
rig in support of production drilling
activities.
The specific configuration of tugs
towing the jack-up-rig as used by
Hilcorp has not been analyzed
previously. Hilcorp contracted JASCO
Applied Sciences to conduct a sound
source verification (SSV) of their tugs in
operation in Cook Inlet during October
2021. This SSV measured tugs pulling
the jack-up-rig at various power outputs
(Lawrence et al., 2022). This SSV
returned a source level of 167.3 dB re
1 mPa for the 20 percent power scenario
and a source level of 205.9 dB re 1 mPa
for the 85 percent power scenario.
Assuming a linear scaling of tug power,
a source level of 185 dB re 1 mPa was
then calculated as a single point source
level for three tugs operating at 50
percent power output. This is
approximately five dB higher than the
literature summary described below.
Hilcorp conducted a literature review
of available source level data for tugs
under load in varying power output
scenarios. Table 3 below provides
values of measured source levels for
tugs varying from 2,000 to 8,200
horsepower. For the purposes of this
table, berthing activities could include
tugs either pushing or pulling a load.
The sound source levels appear
correlated to speed and power output,
with full power output and higher
speeds generating more propeller
cavitation and greater sound source
levels than lower power output and
lower speeds. Additional tug source
levels are available from the literature,
but they are not specific to tugs under
load (rather they measured values for
tugs during activities such as transiting,
docking, and anchor pulling). For a
summary of these additional tug values,
see Table 7 in Hilcorp’s application.
TABLE 3—LITERATURE VALUES OF MEASURED TUG SOURCE LEVELS
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Vessel
Vessel length
(m)
Speed (knots)
Source level
@1 m
(re: 1 μPa)
Activity
Horsepower
Eagle ............................
Valor .............................
Lela Joy ........................
Pacific Eagle .................
Shannon .......................
James T Quigg .............
Island Scout ..................
Chief .............................
Lauren Foss .................
Seaspan Resolution .....
32
30
24
28
30
30
30
34
45
30
9.6
8.4
4.9
8.2
9.3
7.9
5.8
11.4
N/A
N/A
Towing barge ..............
Towing barge ..............
Towing barge ..............
Towing barge ..............
Towing barge ..............
Towing barge ..............
Towing barge ..............
Towing barge ..............
Berthing barge ............
Berthing at half power
173
168
172
165
171
167
174
174
167
180
6,770
2,400
2,000
2,000
2,000
2,000
4,800
8,200
8,200
6,000
Seaspan Resolution .....
30
N/A
Berthing at full power ..
200
6,000
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Reference
Bassett et al., 2012.
Austin et al., 2013.
Roberts Bank Terminal
2 Technical Report,
2014.
Federal Register / Vol. 87, No. 198 / Friday, October 14, 2022 / Notices
The Roberts Bank Terminal 2
Technical Report (2014), although not in
Cook Inlet, includes repeated
measurements of the same tug operating
under different speeds and loads. This
allows for a comparison of source levels
from the same vessel at half power
versus full power, which is an
important distinction for Hilcorp’s
activities, as a small fraction of the total
time spent by tugs under load will be at
greater than 50 percent power. The
Seaspan Resolution’s half-power
berthing scenario has a sound source
level of 180 dB re 1 mPa at 1 m. In
addition, the Roberts Bank Report
(2014) analyzed 650 tug transits under
varying load and speed conditions and
reported mean tug source levels of 179.3
dB re 1 mPa at 1 m, the 25th percentile
was 179.0 dB re 1 mPa at 1 m, and 5th
percentile source levels were 184.9 dB
re 1 mPa at 1 m.
Based solely on the literature review,
a source level of 180 dB for a tug under
load would be appropriate. However,
Hilcorp’s use of a three tug
configuration would increase the
literature source level to approximately
185dB. As one or two tugs are primarily
under load, the third tug sits off to the
side. NMFS still considers these tugs to
be simultaneous sources. When
considered in conjunction with the
additional tugs present in the
configuration as well as the SSV
conducted by JASCO for Hilcorp’s
specific configuration, a source level of
185 dB for tugs towing a jack-up rig was
carried forward for analysis.
Mitigation, monitoring, and reporting
measures are described in detail later in
this document (please see Mitigation
and Monitoring and Reporting).
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Comments and Responses
A notice of NMFS’s proposal to issue
IHAs to Hilcorp was published in the
Federal Register on May 9, 2022 (87 FR
27597). That notice described, in detail,
Hilcorp’s activity, the marine mammal
species that may be affected by the
activity, and the anticipated effects on
marine mammals. During the 30-day
public comment period, NMFS received
comments from Hilcorp, the Bureau of
Ocean Energy Management (BOEM),
and the Center for Biological Diversity
(CBD) in conjunction with Cook
Inletkeeper and Kachemak Bay
Conservation Society (this group
comment letter is referenced as CBD
throughout this notice). These letters are
available online at: https://
www.fisheries.noaa.gov/action/
incidental-take-authorization-hilcorpalaska-llc-oil-and-gas-activities-cookinlet-alaska-0. A summary of the
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commenters’ recommendations as well
as NMFS’ responses is below.
Comment 1: NMFS received
comments about how the proposed
IHAs would relate to the Incidental
Take Regulations (ITRs) NMFS issued to
Hilcorp in 2019 (84 FR 37442, July 30,
2019). CBD commented that NMFS
cannot ‘‘segment’’ its MMPA analysis
for the activities proposed under the
IHAs from its authorization of Hilcorp’s
oil and gas activities under the 5-year
ITRs. Additionally, Hilcorp requested
that NMFS withdraw the ITRs.
Response: The activities for which
take was analyzed in the ITRs have
already occurred or, per Hilcorp, will
not occur during the remaining period
of the ITR, which currently expires on
July 30, 2024. Because none of the
activity for which take was authorized
under the ITRs is planned to occur
under the ITRs, NMFS and Hilcorp
determined there would be no benefit to
undertaking the process of re-evaluating
the ITRs. Instead it was determined that
IHAs under section 101(a)(5)(D) would
be an efficient vehicle for addressing
incidental take from tug activities in a
timely fashion, should authorization be
needed, particularly compared to the
process for rulemaking under section
101(a)(5)(A).
Hilcorp accordingly applied for two
IHAs and NMFS evaluated the potential
for take of marine mammals incidental
to the tug activity Hilcorp included in
its application. Given the type of
activity Hilcorp plans to conduct, the
fact that any potential take would be in
the form of Level B harassment, only,
and the timeframe of those activities,
IHAs are appropriate. This is the course
of action NMFS would advise for any
applicant planning to conduct 2 years of
approximately 14 days and 16 days of
take-related activity per year,
respectively, with the potential to result
in take by harassment only.
As indicated above, and at Hilcorp’s
request, NMFS is undertaking the
process to withdraw the ITRs to reduce
any confusion. NMFS will not issue any
more LOAs pursuant to the ITRs to
authorize take incidental to Hilcorp’s
tug towing activities. Thus there is no
possibility for NMFS to authorize
incidental take of beluga whales
simultaneously through an IHA and the
ITRs.
Comment 2: BOEM commented that
NMFS’ Federal Register (FR) notice did
not discuss potential effects of
helicopters and support vessels
described in Hilcorp’s application for
IHAs and that NMFS may benefit from
analysis of effects to marine mammals
from these activities.
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Response: NMFS briefly discussed
these activities in the Detailed
Description of Specific Activity in the
notice of proposed IHAs, following the
discussion of water jets. That paragraph
includes a discussion of why these
activities were not considered further.
Comment 3: BOEM commented that
NMFS could add clarity as to why 185
dB was used as an estimated source
level for the multi-tug configuration by
referring readers to the JASCO
monitoring report for the sound source
verification of Hilcorp’s sources.
Response: NMFS omitted this source
inadvertently. We have now included
Lawrence et al. (2022) in our references
for further information regarding the
sound source verification used to derive
a source level of 185 dB for the threetug combination.
Comment 4: BOEM commented that
NMFS may want to consider effects to
Pacific white-sided dolphins based on
an acoustics report (Castellote et al.,
2020).
Response: Based on this report and
other information described below,
NMFS has added take of Pacific whitesided dolphins to our analysis and
authorizations. See Description of
Marine Mammals in the Area of
Specified Activities section for more
discussion of the species and why they
are included in our analysis.
Comment 5: BOEM noted page 27621
of the notice of proposed IHAs listed
requirements for monitoring of pile
driving activities.
Response: These requirements were
included in error and have been
removed from the final notice.
Comment 6: Hilcorp commented that
the notice of proposed IHAs and draft
EA incorrectly refers to Hilcorp’s
planned tugging activities as the
‘‘proposed activity’’ when the proposed
activity from NMFS’ perspective is the
proposed issuance of IHAs to take
marine mammals incidental to Hilcorp’s
planned activities.
Response: Hilcorp is correct and
NMFS has clarified Hilcorp’s planned
activities from NMFS’ activities in all
documents.
Comment 7: Hilcorp contests NMFS’
characterization of the project area as a
‘‘non-industrial setting’’ prior to the
onset of Hilcorp’s tugging activities. The
oil and gas facilities in Cook Inlet,
including Hilcorp’s platforms, have
been active, with daily activities, for the
past 60 years.
Response: NMFS agrees that this area
is not pristine, as Hilcorp’s platforms
and development structures are already
in existence. However, Hilcorp’s
activities will introduce additional
anthropogenic activity into the area,
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such as increased vessels around the
platforms, helicopter trips for personnel,
supplies, etc. NMFS has clarified the
characterization of the action area
accordingly.
Comment 8: Hilcorp recommended
that NMFS more clearly describe why
any incidental marine mammal
harassment related to tug-towing
activities is likely to be very low due to
the characteristics of those activities in
the notice of issuance of IHAs and final
EA.
Response: NMFS agrees with
Hilcorp’s characterization that a multitug configuration under load moves in
a slow, predictable pattern that is
unlikely to surprise marine mammals in
the area and, further, animals near
industrial activities may become
habituated to regular activities in the
area, as has been shown for Cook Inlet
belugas around the Port of Anchorage,
for example (61 North Environmental,
2020). However, given the sources
levels, there is still the potential that
some belugas may behaviorally respond
in a manner that would qualify as a
take. NMFS characterizes the type of
harassment (behavioral disturbance
only) that may occur from tugs in this
Federal Register notice and has
authorized Level B harassment out of
caution due to several combined factors,
as described in the Potential Effects of
Specified Activities on Marine
Mammals and their Habitat section.
Comment 9: Hilcorp recommends that
NMFS clearly express its finding that
the incidental harassment levels for
each IHA constitutes a ‘‘small number’’
for each marine mammal stock
regardless of NMFS’s ‘‘one-third’’
standard.
Response: NMFS has made a small
numbers finding for each IHA
individually. The quantitative rationale
for determining these numbers are
‘‘small’’ is put forth in Table 15 below.
Comment 10: Hilcorp requests that
NMFS clarify that the renewal process
is not necessary for the Year 2 IHA to
become effective. Hilcorp specifically
applied for, and NMFS proposed to
issue, two separate, stand-alone IHAs.
The Year 2 IHA would not be a
‘‘renewed’’ version of the Year 1 IHA.
Hilcorp anticipates no need for renewal
of the Year 1 IHA and requests removal
of the renewal provision from the IHAs.
Response: Hilcorp is correct that the
Year 2 IHA is not dependent upon a
renewal of Year 1 and is a completely
separate authorization from the Year 1
IHA. NMFS issued the Year 1 IHA to
Hilcorp effective through September 13,
2023. NMFS has also issued a Year 2
IHA to Hilcorp with effective dates from
September 14, 2023 to August 13, 2024.
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Further, at Hilcorp’s request, NMFS will
not consider a renewal of the Year 1
IHA and has removed the renewal
provision from these IHAs.
Comment 11: Hilcorp recommends
that NMFS clarify whether or not the EA
relies upon the NEPA regulatory
amendments recently adopted by the
Council for Environmental Quality
(CEQ) that became effective on May 20,
2022 (87 FR 2,453, April 20, 2022).
Response: Per NMFS’ internal
guidance dated June 17, 2022, NEPA
reviews for actions initiated after
September 14, 2020, but prior to May
20, 2022, will be conducted according to
the 2020 CEQ regulations. In accordance
with this guidance, NMFS’
Environmental Assessment for this
action references the 2020 CEQ
regulations.
Comment 12: Hilcorp suggested
several corrections or changes for clarity
or to improve accuracy throughout the
FR notice. Hilcorp commented that
NFMS incorrectly characterized the
straight line towing distance in the
Marine Mammal Hearing section of the
proposed IHA notice as 37 km when the
distance used in the analysis was 64 km
(40 mi). Hilcorp also comments that use
of the phrase ‘‘approximately 7 km’’ was
confusing as that was an estimation of
the diameter of the ensonified area and
that 3.8 km radius is a more precise
characterization of the analysis of the
ensonified area.
Response: These errors and
clarifications have been fixed for this
notice of the final IHAs.
Comment 13: The Center for
Biological Diversity (CBD)
recommended that NMFS stop allowing
take of Cook Inlet beluga whales unless
and until the agency conducts a
comprehensive evaluation of the
numerous threats. They note that NMFS
developed 5-year action plans for each
of the ‘‘Species in the Spotlight’’ that
outline short-term efforts vital for
stabilizing their populations and
preventing their extinction. The first of
the ‘‘Key Actions Needed 2016–2020’’
in NMFS’s Species on the Spotlight
Cook Inlet Beluga Whale 5-Year Action
Plan is ‘‘Reduce the Threat of
Anthropogenic Noise in Cook Inlet
Beluga Whale Habitat.’’ They further
note that the NMFS’ Recovery Plan for
Cook Inlet beluga whales (2016)
(Recovery Plan) lists tugboats as the
highest noise threat to critically
endangered species.
Response: NMFS shares CBD’s
concern regarding the impacts of human
activities on Cook Inlet beluga whales
and is committed to supporting the
conservation and recovery of the
species. Under section 101(a)(5)(D) of
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the MMPA, NMFS considers the at risk
status of Cook Inlet beluga whales (and
other species) in both the negligible
impact analysis and through our
consideration of impact minimization
measures that will support the least
practicable adverse impact on those
species. For example, the Hilcorp final
rule included shutdown zones for Cook
Inlet beluga whales that extended well
beyond standard shutdown zones all the
way to the Level B harassment isopleth.
However section 101(a)(5)(D) also
mandates that NMFS ‘‘shall issue’’ an
IHA if we are able to make the necessary
findings for any specified activity for
which incidental take is requested.
In accordance with our implementing
regulations at 50 CFR 216.104(c), we use
the best available scientific evidence to
determine whether the taking by the
specified activity within the specified
geographic region will have a negligible
impact on the species or stock and will
not have an unmitigable adverse impact
on the availability of such species or
stock for subsistence uses. Based on the
scientific evidence available, NMFS
determined that the take incidental to
Hilcorp’s tugging of the jack-up rig,
which is primarily acoustic in nature,
transient, and of a low level, would
have no more than a negligible impact
and no unmitigable adverse impact on
availability of marine mammals for
subsistence uses. Moreover, Hilcorp
proposed and NMFS has required in the
IHAs a rigorous mitigation plan to
further reduce potential impacts to Cook
Inlet beluga whales and other marine
mammals to the lowest level
practicable. Protected species observers
are required to conduct monitoring
during all jack-up rig towing activity.
Since publication of the proposed IHAs,
aerial surveys have been incorporated to
monitor for beluga presence when
towing to or from the Tyonek platform
as the more northern location is
approaching an area of known Cook
Inlet beluga whale use.
Our analysis indicates that issuance of
these IHAs will not contribute to or
worsen the observed decline of the Cook
Inlet beluga whale population.
Additionally, the ESA Biological
Opinion determined that the issuance of
these IHAs is not likely to jeopardize the
continued existence of the Cook Inlet
beluga whales or the western distinct
population segment of Steller sea lions
or to destroy or adversely modify Cook
Inlet beluga whale critical habitat. The
Biological Opinion also outlined Terms
and Conditions and Reasonable and
Prudent Measures to reduce impacts,
which have been incorporated into the
IHAs, including the aerial surveys
discussed in the Mitigation section
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below. Therefore, based on the analysis
of potential effects, the parameters of
the activity, and the rigorous mitigation
and monitoring program, NMFS
determined that the taking from the
specified activity for Year 1 and for Year
2 would have a negligible impact on the
Cook Inlet beluga whale stock.
Moreover, Hilcorp’s jack-up rig
towing activity would take only small
numbers of marine mammals relative to
their population sizes. Further, these
takes represent one annual disturbance
event for each of these individuals, or
perhaps a few individuals could be
disturbed a few times, in which case the
number of impacted individual whales
is even lower. As described in the
Federal Register notice of proposed
IHAs, NMFS used a method that
incorporates density of marine
mammals overlaid with the anticipated
ensonified area to calculate an estimated
number of takes for belugas, which was
estimated to be less than 8 percent of
the stock abundance, which NMFS
considers small.
Regarding CBD’s comment about
tugboat noise, NMFS’ Recovery Plan
ranks noise from tugboats as the most
important source that could potentially
interfere with Cook Inlet beluga whale
recovery based on signal characteristics
and spatio-temporal acoustic footprint.
However, notably, the Recovery Plan is
referencing tugboat noise as a whole
across all vessels and the entirety of
Cook Inlet, not Hilcorp’s specified
activity in the specified location and
geographic region, which is likely a
small portion of overall tugboat use in
Cook Inlet throughout the year. NMFS’
biological opinion on NMFS’ IHAs for
Hilcorp’s activity addressed the impacts
of the marine mammal take NMFS is
authorizing in the context of both the
environmental baseline and the
cumulative effects (including tugboats)
and found that it likely would not
jeopardize Cook Inlet beluga whales or
destroy or adversely modify their
Critical Habitat. In the MMPA analysis,
NMFS addresses the signal
characteristics and spatio-temporal
overlap of Hilcorp’s specific tug activity
in the Federal Register notice and has
authorized take accordingly.
In addition to implementing
mitigation and measures to minimize
the impact of Hilcorp’s activity, more
broadly NMFS is taking several
proactive steps to address the decline of
the species. NMFS provides online
platforms that allow public access to
search for and review NOAA Fisheries
permits and authorizations, as well as
consultations under section 7 of the
ESA. Additionally, NMFS is supporting
the development of a population
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consequences of disturbance model to
further refine information about the
effects of stressors on Cook Inlet beluga
whale behavior, energetic costs, and
vital rates. NMFS continues to conduct
outreach and education to various
stakeholders to minimize the potential
for unauthorized take of Cook Inlet
beluga whales. Lastly, NMFS is
developing site-specific stranding
response and disaster response
guidelines for Cook Inlet, which could
inform responses and further reduce
impacts to Cook Inlet beluga whales.
Comment 14: CBD commented that
the Recovery Plan recommends a review
of the current system of allocation of
takes by harassment of beluga whales to
better reduce cumulative effects of
harassment takes by numerous projects.
CBD provides examples for the number
of takes authorized by NMFS for various
time periods, citing Migura and Bollini
(2021).
Response: We note first that the
Migura and Bollini (2021) paper cited
by CBD seems to have led to a
misunderstanding of the takes
authorized or permitted by NMFS. In
summary, CBD asserts that NMFS
authorized nearly 120,000 takes of Cook
Inlet belugas from 2017 to 2025 and that
in 2020 alone, NMFS authorized the
equivalent of 50 percent of the entire
Cook Inlet beluga whale population to
be ‘‘incidentally’’ harassed by industrial
projects in the Inlet, such as oil and gas
development and pile driving activities.
The vast majority of the asserted
∼120,000 total takes (99 percent),
including all of the very small amount
of take by Level A harassment, were
authorized under directed research or
enhancement permits, which support
research or actions identified in the
Recovery Plan to address Cook Inlet
beluga whale recovery goals. Further,
the vast majority (∼99 percent) of the
total permitted research or enhancement
take numbers cited by CBD are low-level
MMPA Level B harassment from remote
or non-invasive procedures that are
considered not likely to adversely affect
listed species pursuant to the ESA (i.e.,
no associated take under the ESA is
either expected to occur or exempted for
those specific activities). We further
note that based on the required postresearch reporting from this 9-year
period, an average of 25 percent of the
permitted takes actually occurred. For
the Directed Take Program, scientific
research and enhancement permits
authorize intentional close approaches
that target marine mammals and that
may result in harassment. These
permitted takes generally are a larger
number than the actual takes that occur
because researchers need the ability to
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work in the field without running out of
takes mid-season when optimal
conditions and opportunities arise to
meet their stated research objectives.
Factors such as weather, funding, the
pandemic, etc., affect whether takes can
be used.
Regarding the comprehensive
evaluation and minimization of
permitted takes, we reference the
analysis that has already been
completed through NMFS’ 2019
Biological and Conference Opinion on
the Proposed Implementation of a
Program for the Issuance of Permits for
Research and Enhancement Activities
on Cetaceans in the Arctic, Atlantic,
Indian, Pacific, and Southern Oceans
(NMFS, 2019), which determined that
the research and enhancement takes
permitted by the program would not
jeopardize the existence of any of the
affected species. As part of our
programmatic framework for permitting
directed take of ESA species, the
Permits and Conservation Division will
continue to closely evaluate the number
and manner of Cook Inlet beluga whale
takes requested by each applicant, how
the proposed research ties to recovery
plan goals, and the collective number of
authorized and requested takes to
consider the potential cumulative
impact of the activities to the
population. Each directed take annual
report is reviewed to understand how
authorized takes were actually used and
to closely monitor the impacts that
permitted research methods are having
on the target animals.
NMFS also has an active role on the
Research subcommittee of the Cook
Inlet Beluga Whale Recovery
Implementation Task Force. Starting in
2021 the subcommittee increased efforts
to monitor and coordinate research
undertaken on Cook Inlet beluga whales
each year. This effort includes pre- and
post-season meetings with all parties
conducting these studies to (1)
coordinate field efforts and minimize
harassment of whales, (2) learn of the
latest findings by these groups and
others. The subcommittee also plans to
review new findings about threats listed
in the Recovery Plan (NMFS, 2016) and
identify data gaps as potential avenues
for future research.
Regarding the incidental takes
authorized for 2020, those takes
represent instances of exposure above
the Level B harassment threshold that
could occur within a day. In other
words, if those approximately 130 takes
were assumed to be 130 separate
individual whales, it would mean that
those individual whales were each
behaviorally disturbed on one day in
that year. The more likely scenario is
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that some of those 130 exposures were
takes of the same whale on a few
different days, and in fact a lesser
number of individuals were taken, but
still on only a few days within a year.
In all cases, the necessary findings
under MMPA and ESA were made prior
to the authorization of the take. Further,
ITAs issued for activities that may take
Cook Inlet beluga whales typically
include enhanced protective measures
for beluga whales that include delaying
the activity or shutting down if a beluga
is sighted within the Level B harassment
zone and avoiding activities in
important feeding areas, such as the
Susitna Delta. These measures ensure
that in the unlikely event that a beluga
whale is harassed by activities covered
by an ITA, the impacts are expected to
be of a comparatively low level of
severity.
Comment 15: CBD commented that
NMFS’ actions contradict the
recommendations of the Marine
Mammal Commission, which has
repeatedly urged NMFS to stop issuing
authorizations until the agency better
understands the decline in abundance.
Response: CBD cites letters NMFS
received from the Marine Mammal
Commission (MMC) for previous
proposed incidental take authorizations
before 2021 recommending NMFS
refrain from authorizing take of Cook
Inlet beluga whales until more is
understood about the decline in
abundance. NMFS responded to those
comment letters (e.g., 84 FR 37451, July
31, 2019) and we incorporate that
response by reference. NMFS did not
receive a comment letter from the MMC
regarding the proposed IHAs for
Hilcorp, but we refer the reader to the
responses to comments 13 and 14 above.
Comment 16: CBD commented that
the MMPA states that IHAs are valid for
periods of not more than 1 year, but that
NMFS is proposing a series of IHAs for
the next 3 years without conducting a
comprehensive analysis of take across
all 3 years.
Response: Incidental harassment
authorizations issued under section
101(a)(5)(D) for a specified activity are
limited to periods of 1 year or less. Each
IHA must satisfy the negligible impact
standard for the authorized taking and
include the means of effecting the least
practicable adverse impact on the
species or stock and its habitat and,
where relevant, on the availability of
such species or stock for taking for
subsistence uses (i.e., mitigation). NMFS
considered Hilcorp’s request for two
IHAs for two distinct specified activities
(identified as Year 1 and Year 2
activities) and, therefore, performed two
distinct negligible impact analyses
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(because NMFS removed the possibility
of a renewal of the IHAs at Hilcorp’s
request, there will not be a possibility
for a third year). NMFS has a
documented history of issuing
consecutive IHAs to the same applicant,
including sequential IHAs authorizing
take of Cook Inlet beluga whales (85 FR
19294, April 6, 2020; 85 FR 1140,
January 9, 2020; 85 FR 68291, October
28, 2020). Although it is not clear what
is meant by a ‘‘comprehensive’’
analysis, under NMFS’ implementing
regulations for the MMPA, our
negligible impact analyses take into
account the ‘‘baseline’’; moreover, under
NEPA, NMFS’ EA considers all
anthropogenic activities that NMFS is
aware of, including those for which take
is not authorized in the cumulative
effects section and incorporates where
appropriate into the environmental
baseline under the ESA, NMFS’
biological opinion considered the same
types of activities in their
environmental baseline and cumulative
effects discussions.
Regarding the potential for a third
year of activities through the issuance of
a renewal at a later date, please see the
response to comment 17.
Comment 17: CBD commented that
issuance of renewals of IHAs via an
expedited process is unlawful as it
circumvents public comment timing
laid out in the MMPA.
Response: NMFS’ IHA renewal
process meets all statutory
requirements. All IHAs issued, whether
an initial IHA or a renewal, are valid for
a period of not more than 1 year; the
public has 30 days to comment on
proposed IHAs, with a cumulative total
of 45 days for IHA renewals. The
Request for Public Comments section in
the notice of proposed IHA made clear
that the agency was seeking comment
on both the initial proposed IHA for this
project and the potential issuance of a
renewal. Because any renewal (as
explained in the Request for Public
Comments section) is limited to another
year of identical or nearly identical
activities (as described in the
Description of Proposed Activity) or the
same activities that were not completed
within the 1-year period of the initial
IHA, reviewers have the information
needed to effectively comment on both
the immediate proposed IHA and a
possible 1-year renewal, should the IHA
holder choose to request one in the
coming months.
In prior responses to comments about
IHA Renewals (e.g., 84 FR 52464,
October 02, 2019; 85 FR 53342, August
28, 2020), NMFS has explained how the
Renewal process, as implemented, is
consistent with the statutory
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requirements contained in section
101(a)(5)(D) of the MMPA, provides
additional efficiencies beyond the use of
abbreviated notices, and, further,
promotes NMFS’ goals of improving
conservation of marine mammals and
increasing efficiency in the MMPA
compliance process. Therefore, we
intend to continue implementing the
Renewal process.
In this case, as already stated, at
Hilcorp’s request NMFS removed the
renewal provision from these IHAs.
Comment 18: CBD commented that
NMFS’ interpretation of ‘‘small’’ as it
pertains to the small numbers analysis
is unreasonable, and that a number may
be considered small only if it is ‘‘little
or close to zero’’ or ‘‘limited in degree.’’
Response: In NMFS’ Final Rule for
taking of marine mammals incidental to
geophysical surveys in the Gulf of
Mexico (86 FR 5322, January 19, 2021),
NMFS fully describes its interpretation
and implementation of ‘‘small
numbers’’. Included as part of that
discussion, NMFS explains the concept
of ‘‘small numbers’’ in recognition that
there could also be quantities of
individuals taken that would
correspond with ‘‘medium’’ and ‘‘large’’
numbers. As such, NMFS has
established that one-third of the most
appropriate population abundance
number—as compared with the
assumed number of individuals taken—
is an appropriate limit with regard to
‘‘small numbers.’’ This relative
approach is consistent with the
statement from the legislative history
that ‘‘[small numbers] is not capable of
being expressed in absolute numerical
limits’’ (H.R. Rep. No. 97–228, at 19
(September 16, 1981)), and relevant case
law (Center for Biological Diversity v.
Salazar, 695 F.3d 893, 907 (9th Cir.
2012) (holding that the U.S. Fish and
Wildlife Service reasonably interpreted
‘‘small numbers’’ by analyzing take in
relative or proportional terms)).
We note that the comment selectively
includes a definition in support of
CBD’s favored position. For example,
the definition of ‘‘small’’ in Webster’s
New Collegiate Dictionary (1981)
included ‘‘having little size, esp. as
compared with other similar things.’’
See also www.merriam-webster.com/
dictionary/ small (defining ‘‘small’’ as
‘‘having comparatively little size’’).
These definitions comport with the
small numbers interpretation developed
by NMFS, which utilizes a
proportionality approach.
Comment 19: CBD claims that
NMFS’s proposed IHAs failed to
account for all sources of take.
Response: NMFS acknowledges that
Hilcorp’s overall activity in Cook Inlet
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includes more than the activities for
which take is authorized under these
IHAs. Firstly, ITAs under the MMPA are
a request-based authorization by which
NMFS analyzes the potential for
incidental harassment at the request of
the applicant for the activities
described. NMFS also considers other
related activities by the applicant to
assess whether they, alone or in
combination with the specified activity
for which take was requested, may
result in take, and will advise if they
should be included in the take
application. In the specific example
used by CBD that vessel trips may
increase by two trips per day from
normal platform operations, there is no
indication that take is likely to occur
nor has Hilcorp requested take due to
supply vessel trips. While vessel noise
can contribute to masking and is a
contributor to elevated noise in the area,
the manner in which Hilcorp plans to
operate their support vessel (with
inherent mitigation to avoid the
presence of marine mammals) supports
the assessment that an encounter with a
marine mammal, let alone a disruption
of their behavioral pattern, is unlikely to
occur.
Comment 20: CBD commented that
NMFS failed to consider noise from
water jets, production drilling,
helicopters, and vessel traffic.
Response: NMFS considered these
additional sources and did not find
authorization of take was warranted for
these activities. Additional detail about
these sources and NMFS’ rationale is
provided in the Detailed Description of
Specific Activity section of this notice.
NMFS also disagrees with CBD’s
characterization that the MMPA
definition of harassment ‘‘includes not
only those activities that will or are
likely to cause take but those that
‘ha[ve] the potential to injure . . . or
. . . disturb a marine mammal.’ ’’ This
is an incomplete recitation of the
statutory definition of harassment. Level
B harassment refers to an 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 behavioral
patterns, including, but not limited to,
migration, breathing, nursing, breeding,
feeding, or sheltering.’’ This requires
that an act have ‘‘the potential to disturb
by causing disruption of behavioral
patterns,’’ not simply result in a
detectable change in motion or
vocalization. See 84 FR 63268, 63285
(December 7, 2018).
Comment 21: CBD commented that
NMFS is artificially lowering take
estimates ‘‘by calculating the number of
harassments per activity by days of
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exposure rather than the instances of
harassment.’’
Response: In order to provide a
practical, consistent, biology-based (i.e.,
the Diel Cycle) currency for impact
assessment across the wide range of take
calculation methods applicants may
use—for years NMFS has recommended
that for the purposes of counting
instances of take—we do not consider
one individual as taken more than one
time in a day, even if that an individual
could be exposed to sound or other
stressors multiple separate times in one
day. For the purposes of the negligible
impact analysis of the effects of the
enumerated takes on any individuals
and the stock, though, it is important to
understand the likely nature of these
enumerated instances of take (e.g.,
momentary exposure versus multiple
hours, high level versus low level), and
that is how the potential for multiple
exposures in a day (if expected) or
longer duration exposures are
appropriately considered in the
analysis.
For Hilcorp, NMFS used the best
available science to arrive at the most
realistic characterization of potential
harassment possible. In this instance,
NMFS calculated the area likely to be
ensonified above 120 dB and applied
the best available density values for
species in Cook Inlet to arrive at a
number of individuals exposed in a
single day. This is then multiplied by
the number of days to result in the
number of exposures across the entire
duration of the activity (e.g., 14 or 16
days, respectively). If anything, this
calculation may be an overestimate as
animals are not uniformly distributed
across the action area, and the same
individual animals may be exposed to
sound levels greater than 120 dB several
times over the duration of the activity
but due to the constraints of our
calculations, they are being considered
as separate animals in our estimations.
Comment 22: CBD commented that
NMFS’ small numbers determination for
Cook Inlet beluga whales fails to
consider the status of the species. CBD
claims that ‘‘small’’ must be considered
against the status of the species and
whether the percentage of take for each
affected species will ensure that
population levels are maintained at or
restored to heathy numbers.
Response: NMFS disagrees with
CBD’s assertion. The argument to
establish a small numbers threshold on
the basis of stock-specific context is
unnecessarily duplicative of the
required negligible impact finding, in
which relevant biological and
contextual factors are considered in
conjunction with the amount of take
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and would risk conflating the two
standards. Similarly, CBD’s assertion
that NMFS’ small numbers analysis
must consider whether the percentage of
take would restore a population to
‘‘healthy number’’ is not required by
section 101(a)(5)(D) of the MMPA.
Comment 23: CBD commented that
NMFS has no basis on which to
conclude that additional harassment by
noise has a negligible impact on Cook
Inlet beluga whales as a species, given
the population’s lack of recovery and
continued decline.
Response: In the Negligible Impact
Analysis and Determination section, we
describe how the take predicted and
authorized for Hilcorp’s tugboat activity
(not additional harassment by noise at
large), which is 11 in Year 1 and 22 in
Year 2 for beluga whales, will have a
negligible impact on all of the affected
species. In summary, this determination
is based upon the small numbers of
beluga whales that might be exposed
briefly during the 16 days of the
activity, the comparatively low degree
of behavioral harassment that might
result from any one of the 11 or 22
instances of take that occur within a
year, and the likelihood that the
mitigation measures further lessen the
likelihood of exposures. NMFS has
considered the status and decline of
Cook Inlet beluga whales in its analysis,
as well as the importance of reducing
impacts from anthropogenic noise, but
nonetheless, there is no indication that
brief exposure to low level noise not
causing greater than Level B harassment
would have a greater than negligible
impact on Cook Inlet beluga whales.
Comment 24: CBD claims that NMFS
incorrectly stated that Cook Inlet beluga
whales are not known to engage in
critical behaviors in the area where
Hilcorp’s project is planned.
Response: NMFS acknowledges
observation of one potential but
unconfirmed incidence of mating
behavior in the Trading Bay area, but
the extent to which critical behaviors
occur in Hilcorp’s project area is still
unknown. (Lomac-Macnair et al., 2016).
Such behaviors have not been reported
since. Surveys by NMFS or McGuire et
al. (2020) with concentrated effort on
the western coast of Cook Inlet have not
yielded a comparable sighting. Other
key behaviors, such as calving and
feeding, are described in more detail
below but are thought to occur primarily
in other concentrated areas outside of
Hilcorp’s action area.
We are unaware of any information
regarding areas where Cook Inlet
belugas are more likely to engage in
mating behavior, however, what is
known about calving suggests that it is
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most concentrated in the upper Inlet,
north of Hilcorp’s project area. McGuire
et al. (2020) characterizes habitat use by
age class in northern Cook Inlet and
documented the majority of calves in
the northernmost parts of Cook Inlet
(e.g., Susitna Delta) despite
concentrated survey effort in areas along
the west part of the Inlet heading south
toward the Forelands. NMFS
acknowledges that Cook Inlet beluga
whales use the area, especially in spring
and fall months, but their habitat range
at those times is not nearly as
constricted as their summer habitat,
which is concentrated in a small area
with high anthropogenic activity.
Cook Inlet beluga whales may well
occur in the project area, which is why
a small amount of take by Level B
harassment is authorized for this species
incidental to Hilcorp’s jack-up rig
towing. Tagging data, acoustic studies,
and opportunistic sightings indicate that
Cook Inlet belugas continue to occur in
the upper inlet throughout the winter
months, in particular the coastal areas
from Trading Bay to Little Susitna River,
with foraging behavior detected in lower
Knik Arm and Chickaloon Bay, and also
detected in several areas of the lower
inlet such as the Kenai River, Tuxedni
Bay, Big River, and NW Kalgin Island
(Castellote et al., 2011, 2020, 2021; C.
Garner, pers. comm.; Shelden et al.,
2015, 2018). Belugas were historically
seen in and around the Kenai and
Kasilof rivers during June aerial surveys
conducted by ADFG in the late 1970s
and early 1980s and by NMFS starting
in 1993 (Shelden et al., 2015b), and
throughout the summer by other
researchers and local observers. In
recent years, sightings in and near these
rivers have been more typical in the
spring and fall (Ovitz, 2019). It is
unknown if this is due to increased
monitoring efforts in the area or an
increase in belugas using this area.
While visual sightings indicate peaks in
spring and fall, acoustic detections
indicate that belugas can be present in
the Kenai River throughout the winter
(Castellote et al., 2016). Despite the
historic sightings (1970s–1990s) of
belugas throughout the summer (June–
August) in the area, recent acoustic
detections and visual sightings indicate
that there appears to be a steep decline
in beluga presence in the Kenai River
during the summer, despite an annual
return in recent years of 1–1.8 million
sockeye salmon, which are important
beluga prey.
As described above, we have no
reason to expect beluga whales to be
concentrated in the path of Hilcorp’s tug
boats for the purposes of reproductive or
feeding behaviors, but even if one or
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more of the 11 (Year 1) or 22 (Year 2)
instances in which the brief tugboat
operations intersects with an individual
beluga is engaged in these behaviors, the
anticipated short duration and low level
disturbance of any such encounter
would not be likely to impact
reproductive or foraging success of any
individuals.
Comment 25: CBD comments that
NMFS’ negligible impact determination
relies largely on mitigation measures
required under the IHAs that require
visual observations, which it claims are
ineffective.
Response: NMFS disagrees with this
characterization of the negligible impact
determination. Our discussion in the
Negligible Impact Analysis and
Determination section below contains
the factors NMFS considered in
reaching its negligible impact
determinations. Although NMFS’
implementing regulations at 50 CFR
216.104 (c) state that NMFS may
incorporate successful implementation
of mitigation measures to arrive at a
negligible impact determination, for
issuance of IHAs for Hilcorp’s tug
towing rig activity, NMFS did rely upon
an assumption of set level of
effectiveness in mitigation to make our
negligible impact determinations. That
said, based on prior monitoring efforts
in Cook Inlet, it is clearly possible to
detect and identify marine mammals to
the species level at kilometers away
from the source level, including beluga
whales. This is dependent on several
factors such as visual acuity, sea state,
glare, animal behavior/body type, speed
of travel for vessel and animal, etc..
NMFS does not assume total
effectiveness of monitoring, but the
demonstrated record of protected
species observer sightings for activities
in Cook Inlet illustrate that visual
monitoring is appropriate for
implementing mitigation such as
avoidance in this case.
Comment 26: CBD commented that
NMFS relied on Hilcorp’s commitment
to operate with the favorable tide to
reduce the power output of the tugs
without including the requirement in
the IHAs.
Response: The requirement to use a
favorable tide and operate at night if a
favorable tide fell during nighttime
hours was included in the Proposed
IHAs Year 1 and Year 2 that were
available on our website (https://
www.fisheries.noaa.gov/action/
incidental-take-authorization-hilcorpalaska-llc-oil-and-gas-activities-cookinlet-alaska-0) as measures 4.f and 4.g.
It is also in the final IHAs.
Comment 27: CBD commented that
NMFS failed to ensure the least
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practicable adverse impact on Cook
Inlet beluga whales by failing to
consider requiring the use of passive
acoustic monitors to detect the presence
of marine mammals.
Response: NMFS considered the use
of passive acoustic monitoring for
mitigation purposes in the rulemaking
for Hilcorp’s oil and gas activities in
Cook Inlet. As we stated in the notice of
proposed rulemaking, passive acoustic
monitoring for previous activities in
Cook Inlet where incidental take was
authorized by NMFS has not been an
effective mitigation or monitoring
measure due to environmental
conditions (84 FR 12330, 12368; April 1,
2019 (incorporating by reference
discussion of limited effectiveness of
passive acoustic monitoring for survey
mitigation in Hilcorp’s petition for
rulemaking)). For the same reasons, we
have determined passive acoustic
monitoring is not likely to be
sufficiently effective at detection for
real-time mitigation for Hilcorp’s tug
towing activities and is not included in
the IHAs.
As CBD notes, academic researchers
have begun to implement more effective
passive acoustic monitors for research
purposes at several places in Cook Inlet
(Castellote et al., 2020). However, the
framework used by those researchers is
impractical, particularly for Hilcorp’s
planned activity, which primarily
involves straight-line transit. An article
on NOAA’s website (https://
www.fisheries.noaa.gov/science-blog/
beluga-whale-acoustic-monitoringsurvey-post-3) clearly illustrates the
level of customization, expertise, and
difficulty required to assemble a passive
acoustic mooring to then deploy in the
Inlet. Additionally, these instruments
are stationary, which means to
effectively use these monitors as a
means of avoiding harassment of marine
mammals during Hilcorp’s activity,
Hilcorp would need to build and
successfully deploy dozens (or more) of
stationary monitors along a route of
travel that is subject to change
depending upon weather or other
environmental and shipping
restrictions. Additionally, the data
stored on these types of moorings is not
accessible until they are retrieved by the
researcher who deployed them. In the
future, if an established network of
passive acoustic monitors with shared
access to the data is available, this could
be a useful tool for implementing
mitigation measures, but is currently not
practicable.
Comment 28: CBD commented that
NMFS failed to consider time-area
restrictions for tugs such as Trading Bay
in April and May and a prohibition on
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activities from July through September
(CBD did not specify a location for this
proposed measure).
Response: NMFS did consider such a
time-area restriction and does not agree
that these proposed restrictions are
appropriate under the least practicable
adverse impact standard. Hilcorp’s
activity in Trading Bay would be either
a single day of transit or several hours
of positioning the jack-up rig at an
existing well site. As discussed in our
above comment response, there has
been one published observation of
potential (not confirmed) mating
behavior of Cook Inlet beluga whales in
Trading Bay. Surveys by NMFS or
McGuire et al. with concentrated effort
on the western coast of Cook Inlet have
not yielded a comparable sighting.
Closure of the entire area for two
months is not practicable as Hilcorp
would not be able to access the well
sites that are part of the intended
activity. As discussed above and in the
species-specific section of the proposed
IHAs, Cook Inlet belugas are highly
concentrated in the upper Cook Inlet
especially in the summer months (Goetz
et al., 2012; McGuire et al., 2020). In the
past, Cook Inlet beluga whales used the
Kenai area in summer months but that
trend has shifted in recent decades to
occasional spring and fall sightings
(Ovitz, 2019). Throughout the Inlet,
mean group sizes during the summer
and fall were largest in July and smallest
in October, with the largest groups seen
during mid-July and early August in the
Susitna River Delta, while the smallest
group sizes were in the Kenai River
Delta. These patterns of high seasonal
concentrations have continued to be
documented since 2012 (e.g., McGuire
et al., 2020). In reflection of this
information, NMFS has imposed time
area restrictions in the Susitna River
Delta from April to November to reduce
effects of Hilcorp’s activity to the
greatest extent practicable. In the case of
the Tyonek platform, which lies within
10 miles of the mean lower-low water
line of the Little Susitna and Beluga
Rivers, Hilcorp will conduct aerial
surveys to clear the Tyonek platform of
Cook Inlet beluga whales to the greatest
extent practicable. This evidence further
suggests a closure in the middle Inlet
during the summer months, in the
season with longest daylight hours and
best conditions for visual observations
to implement mitigation and
monitoring, is not appropriate under the
least practicable adverse impact
standard.
See also response to comment 24.
Comment 29: CBD stated that NMFS
failed to consider noise-quieting engines
such as electric tugboats.
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Response: The citation provided by
CBD regarding electric tugboats was a
link to a concept drawing of a boat that
is not expected to be on the seas in the
U.S. until at least 2023. NMFS is not
aware of any commercially available
seaworthy tug vessels that are used in
tandem (e.g., three tug configuration)
with effective quieting technologies or
of any company or entity with electric
tug fleets able to use them in tandem as
required for Hilcorp’s activities.
Comment 30: CBD commented that
NMFS did not meaningfully consider
the chosen clearance zone distance of
1,500 meters and that it is not
equivalent to the Level B harassment
zone.
Response: CBD is correct that the
clearance zone required under the IHAs
(1,500 m) is not equivalent to the Level
B harassment zone (3,850 m). There is
no requirement that the clearance zone
be equal to or greater than the Level B
harassment zone. Using the Level B
harassment zone as the clearance zone
would be impractical as identification of
certain species may be unreliable at
such distance in Cook Inlet’s
environmental conditions. The 1,500 m
distance ensures more effective
monitoring closest to the vessels, where
any potential impact to animals is
anticipated to be the greatest. While
underway, protected species observers
will observe for marine mammals to the
greatest extent possible (and they are
not limited to observing within 1,500 m
of the vessel). Any marine mammal
sighted by PSOs at any distance is noted
and reported to NMFS, per the reporting
requirements of the IHAs.
Comment 31: CBD comments that
NMFS defines its purpose and need in
the Environmental Assessment too
narrowly, making issuance of successive
IHAs the only option.
Response: NMFS disagrees with this
characterization of purpose and need.
Under section 101(a)(5)(D) of the
MMPA, NMFS has an obligation to
consider and grant requests for the
taking of marine mammals incidental to
a specified activity, provided they
satisfy the relevant requirements.
Hilcorp submitted an application for
two IHAs, each covering 1 year of tug
towing rig activity. Once deemed
adequate and complete, NMFS had an
obligation to consider and respond to
these requests in the manner described
in the implementing regulations. While
Hilcorp’s request for two IHAs did not
guarantee that they would be issued
(i.e., if one or both years of the specified
activity did not satisfy the relevant
MMPA standards, NMFS would not
issue the IHA(s)), characterizing the
purpose and need to include issuance of
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only one IHA would not be in
accordance with our requirement to
consider both adequate and complete
requests submitted by Hilcorp.
Comment 32: CBD commented that
NMFS segmented its analysis of the
impacts of Hilcorp’s activities under
these IHAs from the activities
authorized under the ITRs.
Response: As explained earlier (see
Comment 1), NMFS is in the process of
withdrawing the ITRs based on
Hilcorp’s representations that they will
not be undertaking any further activities
for which take was authorized under the
ITR during the remaining period of
effectiveness. The only take currently
authorized by NMFS incidental to
Hilcorp’s activities in Cook Inlet,
Alaska, over the next 2 years is through
the two IHAs for the take incidental to
tugs towing the jack-up rig, as described
in this notice.
Comment 33: CBD commented that
NMFS failed to consider several
additional alternatives under NEPA
including: requiring the use of passive
acoustic monitoring to detect the
presence of marine mammals; requiring
the use of drones to detect the presence
of marine mammals; requiring the use of
electric tugboats; restrictions on the
timing of activities when Cook Inlet
belugas are less likely to be present;
restrictions on the overall amount of
authorized activity, and authorizing take
incidental to decommissioning activity
but not production activity.
Response: Under NEPA, NMFS is
required to consider a reasonable range
of alternatives. Our EA considered the
preferred alternative, which satisfied
our purpose and need, and the no-action
alternative. We also considered, but
rejected from further consideration, two
variations of the preferred alternative,
including alternative technologies (such
as electric tugboats). Similarly, as
explained in a previous response, NMFS
is not requiring mitigation such as
passive acoustic monitoring or electric
tugboats because they do not satisfy the
MMPA’s least practicable adverse
impact standard. NMFS is requiring a
time-area closure specifically to
enhance protection for Cook Inlet beluga
whales based on the best available
science. This mitigation measure to
protect Cook Inlet beluga whales in a
biologically important area at times of
known high density of whales was
included in the preferred alternative.
NMFS did not explore ‘‘restrictions on
the overall amount of authorized
activity’’ because NMFS does not
authorize the underlying activity, and
restricting the amount would have
changed the applicant’s specified
activity (and further was not necessary
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to reach our negligible impact
determinations). NMFS did not consider
authorizing take incidental to
decommissioning (P&A) activity but not
production activity because for
purposes of our MMPA analyses of the
impacts of the tug activities, these are
exactly the same activity—the same
three tugboats pulling and positioning
one jack-up rig for the time windows
provided in the project description.
NMFS is not authorizing any take of
marine mammals incidental to
production drilling itself or
decommissioning itself, but rather the
moving of the jack-up rig into position,
which will then be used to complete
those activities. Authorizing take
incidental to tugs towing the jack-up rig
to be used only for decommissioning
purposes would be arbitrary and
capricious.
Comment 34: CBD commented that
NMFS’ EA failed to consider impacts
from vessels and other sources
associated with Hilcorp’s activity, even
if they do not rise to the level of take.
Response: NMFS disagrees with this
characterization. In the description of
the activity in NMFS’ EA, as in the
Federal Register notice of proposed
IHAs, NMFS includes a discussion of
other activity associated with Hilcorp’s
rig-towing and why it does not rise to
the level of take. NMFS has included
that discussion in this Federal Register
notice as well with further detail about
the way Hilcorp plans to conduct those
activities that means take is unlikely.
Aspects of these sources, such as
increased vessel traffic or helicopter
traffic to the area, are addressed in the
EA in the Cumulative Effects section.
Comment 35: CBD commented that
NMFS’ EA relies on mitigation measures
required in the IHAs to dismiss the
significance of impacts from Hilcorp’s
activity, claiming that the mitigation
measures rely on marine mammals
being detected by observers which CBD
considers ineffective. CBD did not
provide any examples or citations of
this in their description.
Response: NMFS does not rely on
ineffective mitigation measures to
dismiss the significance of impacts—as
described in the EA, the primary reason
the impacts are considered insignificant
are because of the limited duration of
the activity (14 and 16 days
respectively), the low level of noise
created by the tug configuration, and the
low density of marine mammals in the
action area resulting in small exposure
estimates. Further, NMFS disagrees with
the characterization that the mitigation
measures are ‘‘ineffective’’ because they
rely on visual detection. NMFS has
received many marine mammal
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monitoring reports over the years
demonstrating that visual observers for
marine mammals are effective in Cook
Inlet. At no point in the MMPA or
NEPA analysis does NMFS assume that
mitigation is 100 percent effective, as
environmental conditions can confound
monitoring effort, but there is a
spectrum of effectiveness when
implementing mitigation, and visual
observation in Cook Inlet is an
appropriate means for detecting marine
mammals to implement mitigation
zones.
Comment 36: CBD comments that
NMFS’ EA fails to properly analyze the
current state of climate change and how
new fossil fuel production contributes
to climate change. CBD claims that
NMFS must consider and disclose how
facilitating fossil fuel production and
total greenhouse gas emissions
associated with the project will
exacerbate climate change. As part of
this analysis, CBD contends that NMFS
must consider downstream greenhouse
gas emissions.
Response: NMFS considers climate
change in its EA. However, as described
previously, NMFS does not authorize
production drilling or any of Hilcorp’s
activities but rather take of marine
mammals incidental to Hilcorp’s
activities. In Federal waters, BOEM
conducts lease sales that provide
qualified bidders the opportunity to bid
on blocks of the outer continental shelf
to gain conditional rights to explore,
develop, and produce oil and natural
gas in those blocks. BOEM’s
consideration of climate change for its
lease sales is found in the agency’s
environmental compliance documents,
such as the EIS written for Lease Sale
244 (BOEM, 2016), the most recent lease
sale in Cook Inlet, Alaska. Of note, for
Alaska state waters, Hilcorp would
obtain necessary permits for production
drilling from Alaska Department of
Environmental Conservation. NMFS’
IHAs cover take of marine mammals
incidental to tugs towing and
positioning a jack-up rig, which may
occur even if Hilcorp produces no
natural gas or oil from their wells with
the jack-up rig.
Comment 37: CBD commented that
NMFS failed to properly consider
impacts to subsistence use as Hilcorp’s
activity would impede the recovery of
Cook Inlet beluga whales, which in turn
affects the beluga harvest.
Response: NMFS considered impacts
on subsistence users, especially for
species such as harbor seals, which are
harvested by communities along Cook
Inlet. NMFS found that take of Cook
Inlet beluga whales incidental to
Hilcorp’s tug towing activity would
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have a negligible impact on the stock
and there is no evidence to suggest that
the impacts of 14 or 16 days of rig
towing per year for 2 years (resulting in
11 and 22 low-level behavioral
disturbance events, respectively), would
impact the reproductive success or
survival of any individual in any way,
much less impede the recovery or
impact the availability of Cook Inlet
beluga whales for subsistence harvest
were a harvest to occur.
Comment 38: CBD also commented
that NMFS failed to take a hard look at
cumulative impacts of the IHAs,
specifically with respect to Cook Inlet
beluga whales.
Response: NMFS disagrees with the
assertion that cumulative impacts were
not adequately considered, especially
with respect to Cook Inlet beluga
whales. Cook Inlet beluga whales are
frequently discussed together with the
other 11 species of marine mammal for
which take is authorized, as cited in
CBD’s example regarding vessel noise,
because effects of vessel noise on Cook
Inlet beluga whales are expected to be
highly similar to the effects of vessel
noise on other marine mammals, except
in that the number of takes is different
(and lower) than some other species due
to their likely distribution in the area.
As described in Castellote et al. (2019),
Cook Inlet beluga whales are one of the
species that exhibits high site fidelity
with a strong temporal correlation.
Because of this, there is strong evidence
that Cook Inlet beluga whales are not
expected to occur in the project area
during the ice-free season when Hilcorp
would be towing the rigs in a largely
offshore environment. While Cook Inlet
beluga whales exhibit high site fidelity,
it is not fidelity to the project area at the
time of year and location of Hilcorp’s
platforms. They may be affected by
other activities in the area where they
would be expected to occur in ice-free
seasons, such as the Port of Anchorage,
and those activities are discussed in our
Cumulative Effects section of the EA.
Cumulative impacts have been
adequately addressed under NEPA in
the final environmental assessment (EA)
supporting NMFS’ determination. In the
final EA, we reviewed potential direct,
indirect, and cumulative impacts to
protected species and their
environment, associated with NMFS’
proposed action and alternatives.
Separately, cumulative effects were
analyzed as required through NMFS’
required intra-agency consultation
under section 7 of the ESA. The
Biological Opinion (BiOp) that NMFS
Alaska Region issued on September 9,
2022, determined that NMFS’ action of
issuing the IHAs is not likely to
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jeopardize the continued existence of
listed marine mammals or result in the
destruction or adverse modification of
critical habitat of such species,
including Cook Inlet beluga whales.
Comment 39: CBD commented that
NMFS’ cumulative impacts analysis
ignores the impacts of take of Cook Inlet
beluga whales already authorized or
occurring, including take from other
ITAs, research permits, and unpermitted
takes from vessel noise, water pollution,
and other impacts. Further, CBD
commented that NMFS should attempt
to quantify take and analyze impacts to
the species in the EA.
Response: NMFS agrees with CBD
that a quantification of take may be
helpful to the public and has included
those numbers in the appropriate
section of the EA’s cumulative effects
discussion. However, these take
numbers are frequently taken out of
context when purely summed. Takes of
marine mammals, including Cook Inlet
beluga whales, through other ITAs is
considered in NMFS’ environmental
baseline when conducting the necessary
analysis for issuance of these IHAs.
There are other takes of Cook Inlet
beluga whales authorized for scientific
research and enhancement of the
species. While they are all considered
‘‘take’’ for purposes of issuing an
authorization or permit under the
MMPA in advance of an activity, the
context of these takes is important (see
responses to Comments 13 and 14).
Authorized takes, in the research
context, are what allow researchers
frequently cited by NMFS and CBD (e.g.,
Castellote et al., McGuire et al., Shelden
et al., Hobbs et al.) to collect the
scientific data necessary to inform their
publications. Researchers’ interactions
with marine mammals are carefully
controlled through permit conditions
and reporting requirements, which often
require research efforts to cease if any
effects to important biological functions
are detected by qualified researchers
that are skilled at observing marine
mammal behavior (NMFS, 2019).
The context of the take is of the
utmost importance when cumulatively
evaluating takes of marine mammals, as
the intensity of impacts from a given
activity can vary widely. For example,
an animal exposed to noise levels just
above our harassment threshold in a
non-critical area may experience a small
change in a behavioral pattern with no
biological consequence while an animal
exposed to very loud noise levels in an
area where active critical foraging
occurs could result in behavioral
changes that may be more likely to
impact fitness. While both of these
examples would be characterized as
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Level B harassment, the resulting
impact on the population could be
different. Context differences such as
these are analyzed in our negligible
impact analysis for each application
under the MMPA.
Furthermore, NMFS does not consider
unpermitted ‘‘takes’’ explicitly in its
analysis. It is difficult to determine if a
take has occurred without monitoring in
place to assess the effects of a particular
activity. However, NMFS broadly and
qualitatively addresses potential effects
from other types of activity or
development without distinguishing if
any potential ‘‘take’’ is permitted. For
example, NMFS considers potential
effects of construction activities, some
of which have the potential to result in
take, in the Cumulative Effects section
of the EA. NMFS discusses the overall
effects of construction without
discerning individual takes due to
construction or attributing takes to a
‘‘permitted’’ or ‘‘unpermitted’’ status.
Comment 40: CBD commented that
NMFS failed to consider Hilcorp’s poor
track record of environmental and safety
violations and accidents and how this
may affect the environmental impacts of
Hilcorp’s activities under the IHAs.
Response: Oil spills, accidents, or
other disasters stemming from manmade structures in Cook Inlet are not
considered, as they are not authorized
and are a breach of authorizations and
perhaps of other agencies’ regulations. It
is the responsibility of the applicants to
comply with all additional regulations,
and to work with the state to obtain
approval of their Oil Discharge
Prevention and Contingency Plans
(ODPCP).
Comment 41: CBD commented that
NMFS should reinitiate and complete
consultation on the 5-year take
regulations and issue a biological
opinion that properly analyzes the
impacts of all of Hilcorp’s activities on
threatened and endangered species and
their habitats, including from tugs
towing rigs.
Response: As described above, NMFS
is in the process of withdrawing the
incidental take regulations issued to
Hilcorp in 2019, as none of the activity
for which incidental take was
authorized is planned to occur in the
foreseeable future. The remaining take
of marine mammals incidental to
Hilcorp’s activity is solely from
Hilcorp’s tug-towing activities, which
are covered by these IHAs and for which
consultation was completed. The
resulting Biological Opinion was issued
on September 9, 2022.
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Changes From Proposed IHAs to Final
IHAs
There are several changes from the
proposed IHAs, starting with the timing
of the activity. The Year 1 and Year 2
IHAs were initially proposed to become
effective in April 2022 and April 2023,
respectively. This timeline has been
delayed during the course of processing
the IHA requests. Hilcorp now requests
that the Year 1 IHA be effective
September 2022 and the Year 2 IHA
become effective on September 2023.
Since the conclusion of the public
comment period in June 2022, NMFS
has reviewed newly available
information, including recent draft
Stock Assessment Reports, information
on relevant Unusual Mortality Events,
and other scientific literature, and
incorporated this information into our
analysis of impacts on marine mammals
and their habitat. Additionally, NMFS
removed the consideration of renewals
of the IHAs at Hilcorp’s request.
During the processing of the IHA
requests, Hilcorp notified NMFS of the
need to conduct the initial rig tow in
June 2022. On April 28, 2022, Hilcorp
sent a letter to NMFS describing the
need to move the jack-up rig as well as
the mitigation and monitoring Hilcorp
planned to employ during the rig move
to avoid take. In a letter dated May 17,
2022, in consideration of the low
likelihood of exposures above the 120
dB harassment threshold, the short
duration of the jack-up rig move, the
further reduced likelihood of exposure
above 120 dB supported by the
expanded mitigation, and further, the
reduced probability that an animal
exposed to a received level above 120
dB tugboat noise would respond in a
manner that qualifies as a take under the
MMPA, NMFS concurred with Hilcorp’s
assessment that take of marine
mammals by Level B harassment is
unlikely to occur during the transport of
the jack-up rig from the Rig Tender’s
Dock in Nikiski to the Tyonek platform
in middle Cook Inlet. NMFS’
concurrence letter did not authorize any
take of marine mammals under the
MMPA or ESA incidental to the rig
move. As a result of this initial move,
Hilcorp’s planned Year 1 activities have
been reduced to approximately 14 days
of tug towing and positioning. This
reduction in activity duration under the
IHA, and appropriate reductions in take
estimates, have been made throughout
this notice and the Year 1 IHA.
Hilcorp began the mobilization
process in June 2022 as described in
their April 28, 2022, letter and fully
abided by all of the minimization
measures described therein. Three
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ocean-going tugs towed the jack-up rig
for 32.2 miles and the approximate total
time under load including transiting,
holding and positioning amounted to 27
hours. The jack-up rig was positioned at
the Tyonek platform where it has
remained since that mobilization.
During the rig move, Hilcorp observed
14 harbor porpoises and six harbor seals
at distances ranging from 75 meters to
4,960 meters from the tug towing jackup rig configuration, and no beluga
whales. Based on the distance at which
some animals were observed and our
assumed source levels, it is possible
individual animals received sound
levels greater than 120 dB, which is
NMFS’ current threshold for estimating
when Level B harassment is predicted to
occur, though there are other qualitative
factors that may be considered. There
are certain characteristics of tugging that
reduce the probability that being
exposed to received levels above 120 dB
will result in disruption of behavioral
patterns. Tugboats under load,
especially a multi-tug configuration, are
slow-moving as compared to typical
recreational and commercial vessel
traffic. Assuming an animal was
stationary, exposure from the moving
tug configuration would be on the order
of minutes in any particular location.
Hilcorp’s monitoring report indicates
these animals were traveling or
swimming, with three animals changing
their course of direction when
approaching the tug configuration,
suggesting their exposure time could
have been even shorter. The slow,
predictable, and generally straight path
of this tug configuration further
lessened the likelihood that exposures
at the expected levels resulted in the
harassment of marine mammals. The
slow transit along a predictable path
occurred in an area of routine vessel
traffic where many large vessels move in
slow straight-line paths, and some
individuals are expected to be
habituated to these sorts of exposures.
NMFS made two changes with respect
to species and stocks included in the
final IHAs. During the course of
consultation under the ESA, it was
brought to NMFS’ attention that
humpback whales in Cook Inlet could
potentially belong to the Western North
Pacific stock as well as the Central
North Pacific stock. NMFS has
considered both stocks in our analysis
for the final IHAs. Additionally, BOEM
suggested that Pacific white-sided
dolphins be included based on acoustic
detection data. They have been included
in our analysis and take authorized in
the final IHAs.
During the process of section 7
consultation under the ESA, Hilcorp
notified NMFS that complying with the
Susitna Delta mitigation zone as
proposed would not be practicable for
operations at their Tyonek platform
because the location of the platform is
within the Susitna Delta exclusion zone.
The dates and applicability of the
Susitna Delta exclusion zone have been
changed from the proposed to final
IHAs. The changes, as well as additional
protective measures associated with the
change, are described in more detail in
the Mitigation section below.
Description of Marine Mammals in the
Area of Specified Activities
Sections 3 and 4 of the application
summarize available information
regarding status and trends, distribution
and habitat preferences, and behavior
and life history of the potentially
affected species. Additional information
regarding population trends and threats
may be found in NMFS’s Stock
Assessment Reports (SARs; https://
www.fisheries.noaa.gov/national/
marine-mammal-protection/marinemammal-stock-assessments) and more
general information about these species
(e.g., physical and behavioral
descriptions) may be found on NMFS’s
website (https://
www.fisheries.noaa.gov/find-species).
Table 4 lists all species or stocks for
which take is expected and authorized
for this action, and summarizes
information related to the population or
stock, including regulatory status under
the MMPA and Endangered Species Act
(ESA) and potential biological removal
(PBR), where known. For taxonomy, we
follow the Committee on Taxonomy
(2021). PBR is defined by the MMPA as
the maximum number of animals, not
including natural mortalities, that may
be removed from a marine mammal
stock while allowing that stock to reach
or maintain its optimum sustainable
population (as described in NMFS’s
SARs). While no mortality is anticipated
or authorized here, PBR and annual
serious injury and mortality from
anthropogenic sources are included here
as gross indicators of the status of the
species and other threats.
Marine mammal abundance estimates
presented in this document represent
the total number of individuals that
make up a given stock or the total
number estimated within a particular
study or survey area. NMFS’s stock
abundance estimates for most species
represent the total estimate of
individuals within the geographic area,
if known, that comprises that stock. For
some species, this geographic area may
extend beyond U.S. waters. All managed
stocks in this region are assessed in
NMFS’s U.S. 2021 SARs (e.g., Muto et
al., 2022). All values presented in Table
4 are the most recent available at the
time of publication and are available in
the 2021 SARs (Muto et al. 2022)
(available online at: https://
www.fisheries.noaa.gov/national/
marine-mammal-protection/draftmarine-mammal-stock-assessmentreports).
TABLE 4—MARINE MAMMAL SPECIES OR STOCKS FOR WHICH TAKE IS EXPECTED AND AUTHORIZED
Common name
Scientific name
Stock
I
ESA/
MMPA
status;
strategic
(Y/N) 1
I
Stock abundance
(CV, Nmin, most recent
abundance survey) 2
Annual
M/SI 3
PBR
I
I
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Order Cetartiodactyla—Cetacea—Superfamily Mysticeti (baleen whales)
Family Eschrichtiidae:
Gray whale .........................
Eschrichtius robustus ................
Eastern North Pacific ................
-, -, N
26,960 (0.05, 25,849,
2016).
Family Balaenidae:
Humpback whale ................
Humpback whale ................
Minke whale ........................
Megaptera novaeangliae ..........
Megaptera novaeangliae ..........
Balaenoptera acutorostrata ......
Western North Pacific ...............
Central North Pacific .................
Alaska .......................................
E, D, Y
E, D, Y
-, -, N
1,107 (0.3, 865, 2006) ....
10,103 (0.3, 7,890, 2006)
N/A (see SAR, N/A, see
SAR).
Family Balaenopteridae
(rorquals):
Fin whale ............................
Balaenoptera physalus .............
Northeast Pacific .......................
E, D, Y
see SAR (see SAR, see
SAR, 2013).
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801
131
3
83
UND
2.8
26
0
see SAR
0.6
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TABLE 4—MARINE MAMMAL SPECIES OR STOCKS FOR WHICH TAKE IS EXPECTED AND AUTHORIZED—Continued
Common name
Scientific name
Stock
I
ESA/
MMPA
status;
strategic
(Y/N) 1
I
Stock abundance
(CV, Nmin, most recent
abundance survey) 2
Annual
M/SI 3
PBR
I
I
Superfamily Odontoceti (toothed whales, dolphins, and porpoises)
Family Delphinidae:
Beluga whale ......................
Killer whale .........................
Delphinapterus leucas ..............
Orcinus orca .............................
Cook Inlet ..................................
Alaska Resident ........................
E, D, Y
-, -, N
Killer whale .........................
Orcinus orca .............................
-, -, N
Pacific white-sided dolphin
Lagenorhynchus obliquidens ....
Gulf of Alaska, Aleutian Islands,
and Bering Sea Transient.
North Pacific .............................
-, -, N
Phocoena phocoena .................
Phocoenoides dalli ....................
Gulf of Alaska ...........................
Alaska .......................................
-, -, Y
-, -, N
Family Phocoenidae (porpoises):
Harbor porpoise ..................
Dall’s porpoise ....................
279 (0.061, 267, 2018) ...
2,347 c (N/A, 2347,
2012).
587 c (N/A, 587, 2012) ...
0.53
24
0
1
5.87
0.8
26,880 (N/A, unknown,
1998).
UND
0
31,046 (0.21, N/A, 1998)
see SAR (0.097, see
SAR, 2015).
UND
131
72
37
318
254
14,011
>320
807
107
Order Carnivora—Superfamily Pinnipedia
Family Otariidae (eared seals
and sea lions):
Steller sea lion ....................
Eumetopias jubatus ..................
Western .....................................
E, D, Y
California sea lion ...............
Zalophus californianus ..............
U.S. ...........................................
-, -, N
Family Phocidae (earless seals):
Harbor seal .........................
Phoca vitulina ...........................
Cook Inlet/Shelikof ....................
-, -, N
52,932 a (see SAR,
52,932, 2019).
257,606 (N/A, 233,515,
2014).
28,411 (see SAR,
26,907, 2018).
1 Endangered Species Act (ESA) status: Endangered (E), Threatened (T)/MMPA status: Depleted (D). A dash (-) indicates that the species is not listed under the
ESA or designated as depleted under the MMPA. Under the MMPA, a strategic stock is one for which the level of direct human-caused mortality exceeds PBR or
which is determined to be declining and likely to be listed under the ESA within the foreseeable future. Any species or stock listed under the ESA is automatically
designated under the MMPA as depleted and as a strategic stock.
2 NMFS marine mammal stock assessment reports online at: www.nmfs.noaa.gov/pr/sars/. CV is coefficient of variation; Nmin is the minimum estimate of stock
abundance. In some cases, CV is not applicable depending on the methodology described in the stock assessment report (SAR) and the date of last available survey
data. Where necessary, NMFS refers reader to the SAR for more detail.
3 These values, found in NMFS’s SARs, represent annual levels of human-caused mortality plus serious injury from all sources combined (e.g., commercial fisheries, ship strike). Annual mortality and serious injury often cannot be determined precisely and is in some cases presented as a minimum value or range.
jspears on DSK121TN23PROD with NOTICES
As indicated above, all 12 species
(with 14 managed stocks) in Table 4
temporally and spatially co-occur with
the activity to the degree that take could
reasonably occur, and we have
authorized it. In addition, the northern
sea otter may be found in Cook Inlet,
Alaska. However, sea otters are managed
by the U.S. Fish and Wildlife Service
and are not considered further in this
document.
Pacific White-Sided Dolphin
Pacific white-sided dolphins are a
pelagic species. They are found
throughout the temperate North Pacific
Ocean, north of the coasts of Japan and
Baja California, Mexico (Muto et al.,
2018). They are most common between
the latitudes of 38° North and 47° North
(from California to Washington). The
distribution and abundance of Pacific
white-sided dolphins may be affected by
large-scale oceanographic occurrences,
such as El Nin˜o, and by underwater
acoustic deterrent devices (NPS, 2018a).
Scientific studies and data are lacking
relative to the presence or abundance of
Pacific white-sided dolphins in or near
Cook Inlet, Alaska. Most observations of
Pacific white-sided dolphins occur off
the outer coast or in inland waterways
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near entrances to the open ocean. A
report of acoustic monitoring efforts
during Hilcorp’s 3D seismic survey in
2020 concluded that Pacific white-sided
dolphins were briefly detected near
Iniskin Bay in Cook Inlet. Detections of
vocalizations typically lasted on the
order of minutes, suggesting the animals
did not remain in the area and/or
continue vocalizing for extended
durations. These observational data,
combined with anecdotal information,
indicate that there is a small potential
for Pacific white-sided dolphins to
occur in the Project area. On May 7,
2014, Apache Alaska observed three
Pacific white-sided dolphins during an
aerial survey near Kenai. This is one of
the only recorded visual observations of
Pacific white-sided dolphins in Cook
Inlet; they have not been reported in
groups as large as those estimated in
other parts of Alaska (e.g., 92 animals in
NMFS’ IHAs for Tongass Narrows). Due
to the cryptic nature of the species and
the lack of maneuverability of the tug
configuration, take of Pacific whitesided dolphins was added to the
proposed authorizations for Year 1 and
Year 2.
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Humpback whale
Humpback whales are found
throughout southern Alaska in a variety
of marine environments, including
open-ocean, near-shore waters, and
areas with strong tidal currents
(Dahlheim et al., 2009). Most humpback
whales are migratory and spend winters
in the breeding grounds off either
Hawaii or Mexico. Humpback whales
are regularly present and feeding in
Cook Inlet in the summer. Current
threats to humpback whales include
vessel strikes, spills, climate change,
and commercial fishing operations
(Muto et al., 2021).
Humpback whales worldwide were
designated as ‘‘endangered’’ under the
Endangered Species Conservation Act in
1970, and were listed under the ESA at
its inception in 1973. However, on
September 8, 2016, NMFS published a
final decision that changed the status of
humpback whales under the ESA (81 FR
62259), effective October 11, 2016. The
decision recognized the existence of 14
distinct population segments (DPSs)
based on distinct breeding areas in
tropical and temperate waters. Five of
the 14 DPSs were classified under the
ESA (4 endangered and 1 threatened),
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while the other 9 DPSs were delisted.
Humpback whales found in the project
area are predominantly members of the
Hawaii DPS, which is not listed under
the ESA. However, based on analyses of
photo-identification studies in Alaska,
members of the Mexico DPS and the
Western North Pacific DPS, which are
listed as threatened and endangered
respectively, are thought to occur in
Cook Inlet. Approximately 1 percent of
all humpback whales in Cook Inlet are
thought to belong to the endangered
Western North Pacific DPS and 11
percent are thought to belong to the
threatened Mexico DPS. All other
humpback whales present are thought to
belong to the non-listed Hawaii DPS
(Wade et al., 2021). Members of
different DPSs are known to intermix on
feeding grounds; therefore, all waters off
the coast of Alaska should be
considered to have ESA-listed
humpback whales. Critical habitat was
recently designated near the entrance of
lower Cook Inlet for Western North
Pacific DPS and Mexico DPS humpback
whales (86 FR 21082, April 21, 2021);
however, Hilcorp’s action area does not
spatially overlap with any critical
habitat designated for humpback whale
DPS.
The DPSs of humpback whales that
were identified through the ESA listing
process do not necessarily equate to the
existing MMPA stocks. The stock
delineations of humpback whales under
the MMPA are currently under review.
Until this review is complete, NMFS
considers humpback whales in Cook
Inlet to primarily be part of the Central
North Pacific stock, with a status of
endangered under the ESA and
designations of strategic and depleted
under the MMPA (Muto et al., 2021). As
described in the above Changes from
Proposed IHAs to Final IHAs, during the
course of consultation under the
Endangered Species Act, it was brought
to NMFS’ attention that humpback
whales in Cook Inlet could occasionally
be from the Western North Pacific stock,
and therefore have been included as a
potential stock in the Final IHAs.
In the summer, humpback whales are
regularly present and feeding in the
Cook Inlet region, including Shelikof
Strait, Kodiak Island bays, and the
Barren Islands, in addition to Gulf of
Alaska regions adjacent to the southeast
side of Kodiak Island (especially
Albatross Banks), the Kenai and Alaska
peninsulas, Elizabeth Island, as well as
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south of the Aleutian Islands.
Humpbacks also may be present in some
of these areas throughout autumn (Muto
et al., 2017).
Humpback whales have been
observed during marine mammal
surveys conducted in Cook Inlet;
however, their presence is largely
confined to lower Cook Inlet. During
SAExploration’s 2015 seismic program,
three humpback whales were observed
in Cook Inlet; two near the Forelands
and one in Kachemak Bay (Kendall et
al., 2015). During NMFS Cook Inlet
beluga whale aerial surveys from 2000
to 2018, there were 88 sightings of 191
estimated individual humpback whales
in lower Cook Inlet (Shelden et al.,
2017). They have been regularly seen
near Kachemak Bay during the summer
months (Rugh et al., 2005). There are
observations of humpback whales as far
north as Anchor Point, with recent
summer observations extending to Cape
Starichkof (Owl Ridge, 2014). Several
humpback whale sightings occurred
lower Cook Inlet between Iniskin
Peninsula and Kachemak Bay near
Augustine, Barren, and Elizabeth
Islands (Shelden et al., 2013, 2015,
2017). There were two sightings of three
humpback whales observed near Ladd
Landing north of the Forelands on the
recent Harvest Alaska Cook Inlet
Pipeline Extension (CIPL) project
(Sitkiewicz et al., 2018). There were 14
sightings of 38 humpback whales
observed in the 2019 Hilcorp lower
Cook Inlet seismic survey in the fall
(Fairweather Science, 2020). This higher
number of humpback whales was
expected in the lower Cook Inlet region
than Hilcorp’s proposed work in the late
summer/fall period.
Ferguson et al. (2015) identified a
biologically important area (BIA), in
which humpback whales are known to
concentrate for feeding, in the Gulf of
Alaska region. The BIA encompasses the
waters east of Kodiak Island (the
Albatross and Portlock Banks), a target
for historical commercial whalers based
out of Port Hobron, Alaska (Ferguson et
al., 2015; Reeves et al., 1985; Witteveen
et al., 2007). This BIA also includes
waters along the southeastern side of
Shelikof Strait and in the bays along the
northwestern shore of Kodiak Island.
The highest densities of humpback
whales around the Kodiak Island BIA
occur from July–August (Ferguson et al.,
2015). This BIA lies directly south but
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does not spatially overlap with
Hilcorp’s proposed action area.
A detailed description of the of the
other species likely to be affected by
Hilcorp’s tug towing jack-up rig activity,
including brief introductions to the
species and relevant stocks as well as
available information regarding
population trends and threats, and
information regarding local occurrence,
were provided in the Federal Register
notice for the proposed IHA (87 FR
27597, May 9, 2022); since that time, we
are not aware of any changes in the
status of these species and stocks;
therefore, detailed descriptions are not
provided here. Please refer to that
Federal Register notice for these
descriptions. Please also refer to NMFS’
website (https://
www.fisheries.noaa.gov/find-species) for
generalized species accounts.
Marine Mammal Hearing
Hearing is the most important sensory
modality for marine mammals
underwater, and exposure to
anthropogenic sound can have
deleterious effects. To appropriately
assess the potential effects of exposure
to sound, it is necessary to understand
the frequency ranges marine mammals
are able to hear. Not all marine mammal
species have equal hearing capabilities
(e.g., Richardson et al., 1995; Wartzok
and Ketten, 1999; Au and Hastings,
2008). To reflect this, Southall et al.
(2007, 2019) recommended that marine
mammals be divided into hearing
groups based on directly measured
(behavioral or auditory evoked potential
techniques) or estimated hearing ranges
(behavioral response data, anatomical
modeling, etc.). Note that no direct
measurements of hearing ability have
been successfully completed for
mysticetes (i.e., low-frequency
cetaceans). Subsequently, NMFS (2018)
described generalized hearing ranges for
these marine mammal hearing groups.
Generalized hearing ranges were chosen
based on the approximately 65 decibel
(dB) threshold from the normalized
composite audiograms, with the
exception for lower limits for lowfrequency cetaceans where the lower
bound was deemed to be biologically
implausible and the lower bound from
Southall et al. (2007) retained. Marine
mammal hearing groups and their
associated hearing ranges are provided
in Table 5.
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TABLE 5—MARINE MAMMAL HEARING GROUPS
[NMFS, 2018]
Hearing group
Generalized hearing
range *
Low-frequency (LF) cetaceans (baleen whales) .........................................................................................................................
Mid-frequency (MF) cetaceans (dolphins, toothed whales, beaked whales, bottlenose whales) ..............................................
High-frequency (HF) cetaceans (true porpoises, Kogia, river dolphins, cephalorhynchid, Lagenorhynchus cruciger & L.
australis).
Phocid pinnipeds (PW) (underwater) (true seals) .......................................................................................................................
Otariid pinnipeds (OW) (underwater) (sea lions and fur seals) ..................................................................................................
7 Hz to 35 kHz.
150 Hz to 160 kHz.
275 Hz to 160 kHz.
50 Hz to 86 kHz.
60 Hz to 39 kHz.
* Represents the generalized hearing range for the entire group as a composite (i.e., all species within the group), where individual species’
hearing ranges are typically not as broad. Generalized hearing range chosen based on ∼65 dB threshold from normalized composite audiogram,
with the exception for lower limits for LF cetaceans (Southall et al., 2007) and PW pinniped (approximation).
The pinniped functional hearing
group was modified from Southall et al.
(2007) on the basis of data indicating
that phocid species have consistently
demonstrated an extended frequency
range of hearing compared to otariids,
especially in the higher frequency range
(Hemila¨ et al., 2006; Kastelein et al.,
2009; Reichmuth and Holt, 2013).
For more detail concerning these
groups and associated frequency ranges,
please see NMFS (2018) for a review of
available information.
jspears on DSK121TN23PROD with NOTICES
Potential Effects of Specified Activities
on Marine Mammals and Their Habitat
The underwater noise from Hilcorp’s
tug towing jack-up rig activity has the
potential to result in behavioral
harassment of marine mammals in the
vicinity of the survey area. The notice
of proposed IHA (87 FR 27597, May 9,
2022) included a discussion of the
effects of anthropogenic noise on marine
mammals and the potential effects of
underwater noise from Hilcorp’s tug
towing jack-up rig activity on marine
mammals and their habitat. The effects
described in the notice of proposed
IHAs are expected to be the same on
Western North Pacific stock of
humpback whales and Pacific whitesided dolphins as for the other species
and stocks considered in the proposed
IHAs. That information and analysis is
incorporated by reference into this final
IHA determination and is not repeated
here; please refer to the notice of
proposed IHA (87 FR 27597, May 9,
2022).
Estimated Take
This section provides an estimate of
the number of incidental takes
authorized through these IHAs, which
informs both NMFS’ consideration of
‘‘small numbers’’ and the negligible
impact determinations.
Harassment is the only type of take
reasonably expected to result from these
activities. Except with respect to certain
activities not pertinent here, section
3(18) of the MMPA defines
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‘‘harassment’’ as any act of pursuit,
torment, or annoyance, which (i) has the
potential to injure a marine mammal or
marine mammal stock in the wild (Level
A harassment); or (ii) has the potential
to disturb a marine mammal or marine
mammal stock in the wild by causing
disruption of behavioral patterns,
including, but not limited to, migration,
breathing, nursing, breeding, feeding, or
sheltering (Level B harassment).
Authorized takes would be by Level B
harassment only, in the form of
disruption of behavioral patterns for
individual marine mammals resulting
from exposure to the tugs towing and
positioning the jack-up rig. Based on the
nature of the activity, Level A
harassment is neither anticipated nor
authorized.
As described previously, no serious
injury or mortality is anticipated or
authorized for this activity. Below we
describe how the authorized take
numbers are estimated.
For acoustic impacts, generally
speaking, we estimate take by
considering: (1) acoustic thresholds
above which NMFS believes the best
available science indicates marine
mammals will be behaviorally harassed
or incur some degree of permanent
hearing impairment; (2) the area or
volume of water that will be ensonified
above these levels in a day; (3) the
density or occurrence of marine
mammals within these ensonified areas;
and, (4) the number of days of activities.
We note that while these factors can
contribute to a basic calculation to
provide an initial prediction of potential
takes, additional information that can
qualitatively inform take estimates is
also sometimes available (e.g., previous
monitoring results or average group
size). Below, we describe the factors
considered here in more detail and
present the take estimates.
Acoustic Thresholds
NMFS recommends the use of
acoustic thresholds that identify the
received level of underwater sound
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above which exposed marine mammals
would be reasonably expected to be
behaviorally harassed (equated to Level
B harassment) or to incur permanent
threshold shift (PTS) of some degree
(equated to Level A harassment).
Level B Harassment—Though
significantly driven by received level,
the onset of behavioral disturbance or
harassment from anthropogenic noise
exposure is also informed to varying
degrees by other factors related to the
source or exposure context (e.g.,
frequency, predictability, duty cycle,
duration of the exposure, signal-to-noise
ratio, distance to the source), the
environment (e.g., bathymetry, other
noises in the area, predators in the area),
and the receiving animals (hearing,
motivation, experience, demography,
life stage, depth) and can be difficult to
predict (e.g., Southall et al., 2007, 2021,
Ellison et al., 2012). Accordingly, based
on what the available science indicates
and the practical need to use a threshold
based on a metric that is both
predictable and measurable for most
activities, NMFS typically uses a
generalized acoustic threshold based on
received level to reasonably estimate the
onset of behavioral harassment. NMFS
generally predicts that marine mammals
are likely to be behaviorally affected in
a manner considered to be Level B
harassment when exposed to
underwater anthropogenic noise above
root-mean-squared pressure received
levels (RMS SPL) of 120 dB (referenced
to 1 micropascal (re 1 mPa)) for
continuous (e.g., vibratory pile-driving,
drilling) and above RMS SPL, 160 dB re
1 mPa (rms) for non-explosive impulsive
(e.g., seismic airguns) or intermittent
(e.g., scientific sonar) sources.
Hilcorp’s activity includes the use of
continuous (tug towing and positioning
the rig) sources, and therefore the RMS
SPL 120 dB re 1 mPa is applicable.
Level A harassment for non-explosive
sources—NMFS’ Technical Guidance
for Assessing the Effects of
Anthropogenic Sound on Marine
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types of sources (impulsive or nonimpulsive). Hilcorp’s activity includes
the use of non-impulsive (tugs towing
rig) sources.
These thresholds are provided in the
table below. The references, analysis,
and methodology used in the
Mammal Hearing (Version 2.0)
(Technical Guidance, 2018) identifies
dual criteria to assess auditory injury
(Level A harassment) to five different
marine mammal groups (based on
hearing sensitivity) as a result of
exposure to noise from two different
development of the thresholds are
described in NMFS 2018 Technical
Guidance, which may be accessed at
https://www.fisheries.noaa.gov/
national/marine-mammal-protection/
marine-mammal-acoustic-technicalguidance.
TABLE 6—THRESHOLDS IDENTIFYING THE ONSET OF PERMANENT THRESHOLD SHIFT
PTS onset acoustic thresholds *
(received level)
Hearing group
Impulsive
Low-Frequency (LF) Cetaceans ......................................
Mid-Frequency (MF) Cetaceans ......................................
High-Frequency (HF) Cetaceans .....................................
Phocid Pinnipeds (PW)(Underwater) ...............................
Otariid Pinnipeds (OW)(Underwater) ...............................
Cell
Cell
Cell
Cell
Cell
1:
3:
5:
7:
9:
Lpk,flat:
Lpk,flat:
Lpk,flat:
Lpk,flat:
Lpk,flat:
219
230
202
218
232
dB;
dB;
dB;
dB;
dB;
Non-impulsive
LE,LF,24h: 183 dB .........................
LE,MF,24h: 185 dB ........................
LE,HF,24h: 155 dB ........................
LE,PW,24h: 185 dB .......................
LE,OW,24h: 203 dB .......................
Cell
Cell
Cell
Cell
Cell
2: LE,LF,24h: 199 dB.
4: LE,MF,24h: 198 dB.
6: LE,HF,24h: 173 dB.
8: LE,PW,24h: 201 dB.
10: LE,OW,24h: 219 dB.
* Dual metric acoustic thresholds for impulsive sounds: Use whichever results in the largest isopleth for calculating PTS onset. If a non-impulsive sound has the potential of exceeding the peak sound pressure level thresholds associated with impulsive sounds, these thresholds should
also be considered.
Note: Peak sound pressure (Lpk) has a reference value of 1 μPa, and cumulative sound exposure level (LE) has a reference value of 1μPa2s.
In this Table, thresholds are abbreviated to reflect American National Standards Institute standards (ANSI, 2013). However, peak sound pressure
is defined by ANSI as incorporating frequency weighting, which is not the intent for this Technical Guidance. Hence, the subscript ‘‘flat’’ is being
included to indicate peak sound pressure should be flat weighted or unweighted within the generalized hearing range. The subscript associated
with cumulative sound exposure level thresholds indicates the designated marine mammal auditory weighting function (LF, MF, and HF
cetaceans, and PW and OW pinnipeds) and that the recommended accumulation period is 24 hours. The cumulative sound exposure level
thresholds could be exceeded in a multitude of ways (i.e., varying exposure levels and durations, duty cycle). When possible, it is valuable for
action proponents to indicate the conditions under which these acoustic thresholds will be exceeded.
jspears on DSK121TN23PROD with NOTICES
Ensonified Area
Here, we describe operational and
environmental parameters of the activity
that will feed into identifying the area
ensonified above the acoustic
thresholds, which include source levels
and transmission loss coefficient.
As described above in the Detailed
Description of Specific Activity, based
on in situ measurements of Hilcorp’s tug
and a review of the available literature
of tugs under load, a source level of 185
dB re 1 mPa was used for Hilcorp’s three
tug configuration for towing the jack-uprig. Hilcorp contracted SLR Consulting
to model the extent of the Level B
harassment isopleth as well as the
extent of the PTS isopleth for their
activity.
Rather than applying practical
spreading loss, SLR created a more
detailed propagation loss model in an
effort to improve the accuracy of the
results by considering the influence of
environmental variables (e.g.
bathymetry) at the specific well sites, as
Hilcorp’s operational locations are
known in advance. Modeling was
conducted using dBSea software. The
fluid parabolic equation modeling
algorithm was used with 5 Pade´ terms
(see pg. 57 in Hilcorp’s application for
more detail) to calculate the
transmission loss between the source
and the receiver at low frequencies (1⁄3octave bands, 31.5 Hz up to 1 kHz). For
higher frequencies (1 kHz up to 8 kHz)
the ray tracing model was used with
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1,000 reflections for each ray. Sound
sources were assumed to be
omnidirectional and modeled as points.
The received sound levels for the
project were calculated as follows: (1)
One-third octave source spectral levels
were obtained via reference spectral
curves with subsequent corrections
based on their corresponding overall
source levels; (2) Transmission loss was
modeled at one-third octave band
central frequencies along 100 radial
paths at regular increments around each
source location, out to the maximum
range of the bathymetry data set or until
constrained by land; (3) The bathymetry
variation of the vertical plane along
each modeling path was obtained via
interpolation of the bathymetry dataset
which has 83 m grid resolution; (4) The
one-third octave source levels and
transmission loss were combined to
obtain the received levels as a function
of range, depth, and frequency; and (5)
The overall received levels were
calculated at a 1-m depth resolution
along each propagation path by
summing all frequency band spectral
levels.
Model Inputs—Bathymetry data used
in the model was collected from the
NOAA National Centers for
Environmental Information (AFSC,
2019). Using NOAA’s temperature and
salinity data, sound speed profiles were
computed for depths from 0 to 100
meters for May, July, and October to
capture the range of possible sound
speed depending on the time of year
PO 00000
Frm 00024
Fmt 4703
Sfmt 4703
Hilcorp’s work could be conducted.
These sound speed profiles were
compiled using the Mackenzie Equation
(1981) and are presented in Table 8 of
Hilcorp’s application. Geoacoustic
parameters were also incorporated into
the model. The parameters were based
on substrate type and their relation to
depth. These parameters are presented
in Table 9 of Hilcorp’s application.
Detailed broadband sound
transmission loss modeling in dBSea
used the source level of 185 dB re 1 mPa
at 1 m calculated in one-third octave
band levels (31.5 Hz to 64,000 Hz) for
frequency dependent solutions. The
frequencies associated with tug sound
sources occur within the hearing range
of marine mammals in Cook Inlet.
Received levels for each hearing marine
mammal group based on one-third
octave auditory weighting functions
were also calculated and integrated into
the modeling scenarios of dBSea. For
modeling the distances to relevant PTS
thresholds, a weighting factor
adjustment was not used; instead, the
data on the spectrum associated with
their source was used and incorporated
the full auditory weighting function for
each marine mammal hearing group.
Because Hilcorp plans to use the tugs
towing the jack-up-rig for essentially
two functions (positioning and towing),
the activity was divided into two parts
(stationary and mobile) and two
approaches were taken for modeling the
relevant isopleths.
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jspears on DSK121TN23PROD with NOTICES
Stationary—For stationary activity,
two locations representative of where
tugs will be stationary positioning the
jack-up rig were selected for the model.
These locations are in middle Cook Inlet
near the Tyonek platform, and in lower
Trading Bay where the production
platforms are located, with water depths
of 40 m and 20 m respectively. The
modeling at these locations assumed a
stationary 5-hour exposure to a
broadband spectrum of 185 dB as
described above. A 5-hour exposure
duration was chosen to account for the
up to 5-hour positioning attempts on
individual days as well as events where
the tugs need to hold the jack-up rig
while waiting for a following tide.
Stationary model results are presented
in Table 7.
Mobile—For the mobile portion of the
activity, a representative route was used
from the Rig Tender’s dock in Nikiski to
the Tyonek platform, the northernmost
platform in Cook Inlet (representing
Middle Cook Inlet), as well as from the
Tyonek Platform to the Dolly Varden
platform in lower Trading Bay and then
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from the Dolly Varden platform back to
the Rig Tender’s Dock in Nikiski. This
route is representative of a typical route
the tugs may take; the specific route is
not yet known because the order in
which platforms will be drilled with the
jack-up rig is not yet known. The lowest
threshold for the onset of PTS is for high
frequency cetaceans at 173 dB. Based on
a source level of 185 dB, and assuming
practical spreading, the high frequency
cetacean PTS threshold of 173 dB would
be reached at 6.3 meters away from the
source. The mobile source modeling
assumed a transit speed of 2.06 m/s for
the tug configuration. With an assumed
vessel speed of 2.06 m/s, it would take
the vessel 6.11 seconds to traverse a
distance of two times the radius, with
two times the radius used because the
source is omnidirectional and the ship
is moving in a straight line. Although a
source level of 185 dB incorporates the
use of three tugs simultaneously,
because the three tugs will likely not be
perfectly aligned in space (e.g., one
could lag slightly behind the forward
two), three separate six second
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62383
exposures were summed (one for each
tug passing in space) to arrive at a total
duration of exposure of 18 seconds.
While it is possible the duration of
exposure could be as short as six
seconds if all tugs were perfectly
aligned, separate exposures for each tug
were considered as the exact formation
of the tugging vessels at any given time
is unknown. Mobile source model
results are presented in Table 8.
Because there is no temporal
component associated with NMFS’
current Level B threshold, making it a
potentially conservative assumption
given the transitory nature of the rig
towing activity, the results of the
modeled distance to the 120 dB
threshold for both stationary and mobile
tug use are presented in Table 9 below.
The average of these distances was used
for calculation of estimated exposure to
Level B harassment (3,850 m).
The locations used in the stationary
and mobile source models are depicted
in Figure 2 below.
BILLING CODE 3510–22–P
E:\FR\FM\14OCN1.SGM
14OCN1
62384
Federal Register / Vol. 87, No. 198 / Friday, October 14, 2022 / Notices
1s1°0'0'W
•
Onshote l'IAK Facl1ies
ti
NC!lh\.l>l~mentkiMi!I
111
Produ•tion Dtilirig-
•
N<,n.J;llcap 01!Shore p-.,.,.
t:l--
0
Stat!onaryte\lelAM<>ileied:\/iili'i>ointLoeaiio""
I
NAO_1983_UTM_Zone_5N
Cook Inlet, Alaska
3800 Centerpolnt Dr. Sulla 1400
Atlworage,AA 00503
012345Miles
I I I I I I
Figure 2 -- Locations Used for Stationary and Mobile Isopleth Models
BILLING CODE 3510–22–C
The outputs of the mobile and
stationary models as distances to the
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relevant threshold (in meters) are
presented below in Tables 7–9.
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14OCN1
EN14OC22.070
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Mop Dote: 211512022
Modeled Sound Source Locations
in the Hilcorp Action Area
62385
Federal Register / Vol. 87, No. 198 / Friday, October 14, 2022 / Notices
TABLE 7—AVERAGE DISTANCES TO PTS THRESHOLDS FOR STATIONARY ACTIVITY
Average distances (m) to PTS threshold by functional hearing group
Location
Season
LF
MF
HF
PW
OW
Trading Bay .........................
Trading Bay .........................
Trading Bay .........................
Middle Cook Inlet ................
Middle Cook Inlet ................
Middle Cook Inlet ................
May .....................................
July .....................................
October ...............................
May .....................................
July .....................................
October ...............................
100
122
98
83
89
80
72
73
72
83
85
84
716
697
694
643
664
661
59
63
59
77
78
78
........................
........................
........................
........................
........................
........................
Average ........................
.............................................
95
78
679
69
0
TABLE 8—AVERAGE DISTANCES TO PTS THRESHOLDS FOR MOBILE ACTIVITY
Average distances (m) to PTS threshold by functional hearing group
Location
Season
LF
MF
HF
PW
OW
M2 .......................................
M2 .......................................
M2 .......................................
M11 .....................................
M11 .....................................
M11 .....................................
M22 .....................................
M22 .....................................
M22 .....................................
May .....................................
July .....................................
October ...............................
May .....................................
July .....................................
October ...............................
May .....................................
July .....................................
October ...............................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
10
5
10
10
5
10
10
5
10
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
........................
Average ........................
.............................................
0
0
8
0
0
TABLE 9—AVERAGE DISTANCES TO LEVEL B THRESHOLD
[stationary and mobile]
[120 dB]
Average distance to 120 dB threshold
(m)
Waypoint
jspears on DSK121TN23PROD with NOTICES
May
M1 ....................................................................................................................
M2 ....................................................................................................................
M3 ....................................................................................................................
M4 ....................................................................................................................
M5 ....................................................................................................................
M6 ....................................................................................................................
M7 ....................................................................................................................
M8 ....................................................................................................................
M9 ....................................................................................................................
M10 ..................................................................................................................
M11 ..................................................................................................................
M12 ..................................................................................................................
M13 ..................................................................................................................
M14 ..................................................................................................................
M15 ..................................................................................................................
M16 ..................................................................................................................
M18 ..................................................................................................................
M20 ..................................................................................................................
M22 ..................................................................................................................
M24 ..................................................................................................................
M25 ..................................................................................................................
M26 ..................................................................................................................
M27 ..................................................................................................................
M28 ..................................................................................................................
M29 ..................................................................................................................
Average ....................................................................................................
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July
4,215
3,946
4,156
4,040
4,053
3,716
2,947
3,270
3,567
3,600
3,746
3,815
4,010
3,837
3,966
3,873
5,562
5,044
4,717
4,456
3,842
3,690
3,707
3,546
3,618
3,958
E:\FR\FM\14OCN1.SGM
October
3,911
3,841
3,971
3,844
3,676
3,445
2,753
3,008
3,359
3,487
3,579
3,600
3,831
3,647
3,798
3,676
3,893
3,692
3,553
3,384
3,686
3,400
3,497
3,271
3,279
3,563
14OCN1
4,352
4,350
4,458
4,364
4,304
3,554
2,898
3,247
3,727
3,691
4,214
3,995
4,338
4,217
4,455
4,504
4,626
4,320
4,067
4,182
4,218
3,801
3,711
3,480
3,646
4,029
Season
average
distance to
threshold
(m)
4,159
4,046
4,195
4,083
4,011
3,572
2,866
3,175
3,551
3,593
3,846
3,803
4,060
3,900
4,073
4,018
4,694
4,352
4,112
4,007
3,915
3,630
3,638
3,432
3,514
3,850
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Marine Mammal Occurrence
In this section we provide the
information about the presence, density,
or group dynamics of marine mammals
that will inform the take calculations.
Densities for marine mammals in
Cook Inlet were derived from NMFS’
Marine Mammal Laboratory (MML)
aerial surveys, typically flown in June,
from 2000 to 2018 (Rugh et al., 2005;
Shelden et al., 2013, 2015, 2017, 2019).
A survey was also conducted in 2021
but density information is not yet
available. While the surveys are
concentrated for a few days in June
annually, which may skew densities for
seasonally present species, they are still
the best available long-term dataset of
marine mammal sightings available in
Cook Inlet. Density was calculated by
summing the total number of animals
observed and dividing the number
sighted by the area surveyed. The total
number of animals observed accounts
for both lower and upper Cook Inlet.
There are no density estimates available
for California sea lions and Pacific
white-sided dolphins in Cook Inlet, as
they are so infrequently sighted.
Densities are presented in Table 10
below.
TABLE 10—DENSITIES OF MARINE MAMMALS IN COOK INLET
Density
(indiv/km2)
Species
Humpback whale .................................................................................................................................................................................
Minke whale .........................................................................................................................................................................................
Gray whale ...........................................................................................................................................................................................
Fin whale .............................................................................................................................................................................................
Killer whale ..........................................................................................................................................................................................
Beluga whale (MML lower CI) .............................................................................................................................................................
Beluga whale (MML middle CI) ...........................................................................................................................................................
Goetz beluga—LCI ..............................................................................................................................................................................
Goetz beluga—NCI ..............................................................................................................................................................................
Goetz beluga—TB ...............................................................................................................................................................................
Dall’s porpoise .....................................................................................................................................................................................
Harbor porpoise ...................................................................................................................................................................................
Pacific white-sided dolphin ..................................................................................................................................................................
Harbor seal ..........................................................................................................................................................................................
Steller sea lion .....................................................................................................................................................................................
California sea lion ................................................................................................................................................................................
For beluga whales, two densities were
considered as a comparison of available
data. The first source considered was
directly from the MML aerial surveys, as
described above. Sighting data collected
during aerial surveys is collected and
then several correction factors are
applied to address perception,
availability, and proximity bias. These
corrected sightings totals are then
divided by the total area covered during
the survey to arrive at a density value.
Densities were derived for the entirety
of Cook Inlet as well as for middle and
lower Cook Inlet. Densities across all
three regions are low and there is a
known effect of seasonality on the
distribution of the whales. Thus,
densities derived directly from surveys
flown in June might underestimate the
density of beluga whales in lower Cook
Inlet at other ice-free times of the year.
The other mechanism for arriving at
beluga whale density considered here is
the Goetz et al. (2012) habitat-based
model. This model is derived from
sightings and incorporates depth
soundings, coastal substrate type,
environmental sensitivity index,
anthropogenic disturbance, and
anadromous fish streams to predict
densities throughout Cook Inlet. The
output of this model is a beluga density
map of Cook Inlet, which predicts
spatially explicit density estimates for
0.001770
0.000009
0.000075
0.000311
0.000601
0.000023
0.001110
0.011106
0.001664
0.015053
0.000154
0.004386
0.000000
0.241401
0.007609
0.000000
Cook Inlet belugas. Using the resulting
grid densities, average densities were
calculated for two regions applicable to
Hilcorp’s operations. The densities
applicable to the area of activity (i.e., the
North Cook Inlet Unit density for
middle Cook Inlet activities and the
Trading Bay density for activities in
Trading Bay) are provided in Table 11
below and were carried forward to the
exposure estimates. Likewise, when a
range is given, the higher end of the
range was used out of caution to
calculate exposure estimates (i.e.,
Trading Bay in the Goetz model has a
range of 0.004453 to 0.015053; 0.015053
was used for the exposure estimates).
TABLE 11—COOK INLET BELUGA WHALE DENSITIES BASED ON GOETZ et al. (2012) HABITAT MODEL
Beluga whale density
(ind/km2)
Project Location
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North Cook Inlet Unit (middle Cook Inlet) ...........................................................................................................................
Trading Bay Area .................................................................................................................................................................
Take Calculation and Estimation
Here we describe how the information
provided above is brought together to
produce a quantitative take estimate for
each of the two IHAs.
Year 1 IHA—As described above,
Hilcorp’s tug towing rig activity was
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divided into two portions for the
purpose of take estimation: stationary
and mobile activity. For stationary
activity, 5 hours of sound production
per day was assumed for up to 14 days
(seven moves or segments consisting of
2 days each). For the mobile portion of
the activity, 1 day of 9 hours of mobile
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0.001664
0.004453–0.015053
activity (assuming a source velocity of
2.06 m/s) and 6 days of 6 hours of
mobile activity were assumed, for a total
of 7 rig moves. The first 5 stationary
hours are assumed to occur on the same
day as the mobile hours, the second 5
stationary hours will occur the
following day. The first 5 stationary
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hours are assumed to occur on the same
day as the mobile hours, the second 5
stationary hours will occur the
following day.
Year 2 IHA—For stationary activity, 5
hours of sound production per day was
assumed for up to 16 days. For mobile
activity, 9 hours of sound production
was assumed for 2 days, as well as 6
hours of sound production for 6 days,
for a total of eight rig moves.
The ensonified areas calculated per
activity type (stationary and mobile) for
a single day were multiplied by marine
mammal densities to get an estimate of
exposures per day. This was then
multiplied by the number of days of that
type of activity (stationary or mobile) to
arrive at the number of estimated
exposures per year per activity type.
These exposures by activity type were
then summed to result in a number of
exposures per year for all tug towing rig
activity. The estimated exposures are
provided below in Tables 12 and 13 for
Year 1 and Year 2 of activity,
respectively. As we are now considering
one less rig mobilization in Year 1 than
was considered in the notice of
proposed IHAs, the calculated
exposures for Year 1 are slightly lower
than those of Year 2. There are two
estimates for beluga whales provided in
the tables below to demonstrate the
difference in the calculations based on
the chosen density value. As exposure
estimates were calculated based on
specific potential rig moves or well
locations, the density value for beluga
whales that was carried through the
estimate was the higher density value
for that particular location. There are no
estimated exposures based on this
method of calculation for Pacific whitesided dolphins and California sea lions
because the assumed density is 0
animals/km2.
TABLE 12—TOTAL CALCULATED EXPOSURES FOR YEAR 1
Group
Species
LF Cetaceans ...............................................................
Humpback whale ..........................................................
Minke whale ..................................................................
Gray whale ...................................................................
Fin whale ......................................................................
Killer whale ...................................................................
Beluga whale NMFS .....................................................
Beluga whale Goetz .....................................................
Pacific white-sided dolphin ...........................................
Dall’s porpoise ..............................................................
Harbor porpoise ............................................................
Harbor seal ...................................................................
Steller sea lion ..............................................................
California sea lion .........................................................
MF Cetaceans ..............................................................
HF Cetaceans ...............................................................
Phocids .........................................................................
Otariids .........................................................................
Level A
0.000
0.000
0.000
0.000
0.000
0.000
0.000
0.000
0.001
0.031
0.011
0.000
0.000
Level B
3.065
0.016
0.129
0.538
1.041
1.922
9.411
0.000
0.266
7.595
418.051
13.176
0.000
TABLE 13—TOTAL CALCULATED EXPOSURES FOR YEAR 2
Group
Species
LF Cetaceans ...............................................................
Humpback whale ..........................................................
Minke whale ..................................................................
Gray whale ...................................................................
Fin whale ......................................................................
Killer whale ...................................................................
Beluga whale NMFS .....................................................
Beluga whale Goetz .....................................................
Pacific white-sided dolphin ...........................................
Dall’s porpoise ..............................................................
Harbor porpoise ............................................................
Harbor seal ...................................................................
Steller sea lion ..............................................................
California sea lion .........................................................
MF Cetaceans ..............................................................
HF Cetaceans ...............................................................
Phocids .........................................................................
Otariids .........................................................................
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Based on the analysis described
above, NMFS has not authorized take
via Level A harassment related to
Hilcorp’s tug towing drill rig activity.
For mobile tugging, the distances to the
PTS thresholds for high frequency
cetaceans (the only functional hearing
group of concern based on the model
results) are smaller than the overall size
Level A
of the tug and rig configuration, making
it unlikely a cetacean would remain
close enough to the tug engines to incur
PTS. For stationary positioning of the
jack up rig, the PTS isopleths are up to
679 m for high frequency cetaceans, but
calculated on the assumption that an
animal would remain within several
hundred meters of the jack-up rig for the
0.000
0.000
0.000
0.000
0.000
0.000
0.000
0.000
0.001
0.038
0.012
0.000
0.000
Level B
4.058
0.021
0.171
0.712
1.379
2.545
11.651
0.000
0.353
10.057
553.565
17.448
0.000
full 5 hours of noise-producing activity.
Given the location of the activity is not
in an area known to be essential habitat
for any marine mammal species with
extreme site fidelity over the course of
2 days, the occurrence of PTS is
unlikely. A table indicating the number
of takes, by Level B harassment,
authorized is provided below.
TABLE 14—TAKES (BY LEVEL B HARASSMENT) CALCULATED AND AUTHORIZED FOR YEAR 1 IHA AND YEAR 2 IHA
Year 1
calculated
Humpback whale ...........................................................................
Minke whale ...................................................................................
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0.016 ................
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Year 1
authorized
Year 2
calculated
5
6
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0.021 ................
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authorized
6
6
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TABLE 14—TAKES (BY LEVEL B HARASSMENT) CALCULATED AND AUTHORIZED FOR YEAR 1 IHA AND YEAR 2 IHA—
Continued
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Year 1
calculated
Year 1
authorized
Year 2
calculated
Gray whale .....................................................................................
Fin whale .......................................................................................
Killer whale .....................................................................................
Beluga whale .................................................................................
0.129 ................
0.538 ................
1.041 ................
1.922 (MML),
9.411 (Goetz).
2
4
10
11
Pacific white-sided dolphin ............................................................
Dall’s porpoise ...............................................................................
Harbor porpoise .............................................................................
Harbor seal ....................................................................................
Steller sea lion ...............................................................................
California sea lion ..........................................................................
0 .......................
0.266 ................
7.595 ................
418.051 ............
13.176 ..............
0 .......................
3
6
44
418
13
2
As illustrated by the table above, the
estimated exposures for several species
are less than one. While uncommon,
these species have been previously
sighted in Cook Inlet and some are
unlikely to appear as solitary
individuals when sighted.
For humpback whales, the number of
takes authorized is increased from the
calculated estimate of four to six
individuals. There were two sightings of
three humpback whales observed near
Ladd Landing north of the Forelands
during the Harvest Alaska CIPL project
(Sitkiewicz et al., 2018). Based on
documented observations during the
CIPL survey (the survey nearest the
Action Area), Hilcorp requested six
takes of humpback whales to allow for
up to two sightings of three individuals,
consistent with what was observed
during the CIPL project. We expect a
small number of humpback whale
groups will be exposed, with most of
these groups consisting of one or two
animals. There is a small probability
more humpbacks are exposed than the
calculated, three humpbacks in Year 1
and four in Year 2, therefore, we added
an additional median group size of two
humpback whales to each year resulting
in an exposure estimate of five
humpbacks in Year 1 and six in Year 2.
Minke whale takes authorized are
increased from the calculated less than
one individual to five. Minke whales are
commonly sighted in groups of two or
three, as well as sightings of
individuals. There were eight sightings
of eight minke whales observed during
the 2019 Hilcorp lower Cook Inlet
seismic survey (Fairweather Science,
2020). As the occurrence of minke
whales is expected to be less in middle
Cook Inlet than lower Cook Inlet and
considering the observed group sizes,
Hilcorp is requesting six takes of minke
whale to allow for the possibility of two
sightings of a group of three individuals,
both in Year 1 and again in Year 2.
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During Apache’s 2012 seismic
program, nine gray whales were
observed in June and July (LomacMacNair et al., 2013). During Apache’s
seismic program in 2014, one gray
whale was observed (Lomac-MacNair et
al., 2014). During SAExploration’s
seismic survey in 2015, the 2018 CIPL
project, and Hilcorp’s 2019 seismic
survey, no gray whales were observed
(Kendall et al., 2015; Sitkiewicz et al.,
2018; Fairweather Science, 2020).
Considering the Action Area is in
middle Cook Inlet where sightings of
gray whales are less common, Hilcorp is
requesting two takes of gray whales to
allow for the potential occurrence of
two individual gray whales both in Year
1 and again in Year 2.
The number of fin whale takes
authorized is increased from one to four
individuals, as they may be seen in
groups of two to seven individuals.
During seismic surveys conducted in
2019 by Hilcorp in the lower Cook Inlet,
fin whales were recorded in groups
ranging in size from one to 15
individuals (Fairweather, 2020). During
the NMFS aerial surveys in Cook Inlet
from 2000 to 2018, 10 sightings of 26
estimated individual fin whales in
lower Cook Inlet were observed
(Shelden et al., 2013, 2015, 2016, 2019).
A total authorized take of four fin
whales would account for two sightings
of two animals, which is the lower end
of the range of common group size.
Exposure of up to four fin whales could
occur in Year 1 and again in Year 2.
The number of authorized killer
whale takes is increased to 10 from the
calculated exposure of one. Killer
whales are typically sighted in pods of
a few animals to 20 or more (NOAA,
2022b). During seismic surveys
conducted in 2019 by Hilcorp in the
lower Cook Inlet, 21 killer whales were
observed, either as single individuals or
in groups ranging in size from 2 to 5
individuals (Fairweather, 2020). Based
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0.171 ................
0.712 ................
1.379 ................
2.545 (MML),
11.651
(Goetz).
0 .......................
0.353 ................
10.057 ..............
553.565 ............
17.448 ..............
0 .......................
Year 2
authorized
2
4
10
22
3
6
44
554
17
2
on documented sightings, Hilcorp
requested 10 takes of killer whales to
allow for 2 sightings with a group size
of 5 individuals in Year 1 and again in
Year 2.
Depending on the density data used
for each activity, the estimated annual
exposures for beluga whales is 3 to 10
animals. The number of takes
authorized for beluga whales is 11
animals for Year 1 and 22 animals in
Year 2 to allow for the possibility that
more than one observation of typical
Cook Inlet beluga groups occurs. The
2018 MML aerial survey (Shelden and
Wade, 2019) estimated a median group
size of approximately 11 beluga whales,
although group sizes were highly
variable (2 to 147 whales) as was the
case in previous survey years (Boyd et
al., 2019). We are not accounting for
multiple groups of 11 belugas for Year
1 given that a large portion of the total
mobilization distance has already been
traveled, making an encounter with
multiple beluga groups less likely.
Additionally, vessel-based surveys in
2019 observed beluga whale groups in
the Susitna River Delta (roughly 24 km
[15 miles] north of the Tyonek Platform)
that ranged from 5 to 200 animals
(McGuire et al., 2021). The very large
groups seen in the Susitna River Delta
are not expected near Hilcorp’s
platforms, however, smaller groups (i.e.,
around the median group size) could be
traveling through to access the Susitna
River Delta and other nearby coastal
locations, particularly in the shoulder
seasons when belugas are more likely to
occur in middle Cook Inlet.
The number of Dall’s porpoise takes
authorized is increased from less than
one estimated individual to six. Dall’s
porpoises are usually found in groups
averaging between two and 12
individuals (NOAA, 2022c). During
seismic surveys conducted in 2019 by
Hilcorp in the lower Cook Inlet, Dall’s
porpoises were recorded in groups
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ranging in size from two to seven
individuals (Fairweather, 2020). The
2012 Apache survey recorded two
groups of three individual Dall’s
porpoises (Lomac-MacNair, 2014).
Because occurrence of Dall’s porpoise is
anticipated to be less in middle Cook
Inlet than lower Cook Inlet, the smaller
end of documented group sizes (three
individuals) is used, and Hilcorp
requests six takes of Dall’s porpoise to
allow for two sightings of three
individuals similar to the numbers
observed during the 2012 Apache
survey. The same number of takes are
authorized in Year 1 and Year 2 because
the calculated exposure for each year is
less than one, making the group size
methodology equally applicable to Year
1 and Year 2.
Harbor porpoise takes are increased
from an estimated 10 takes to 44 takes.
Shelden et al. (2014) compiled
historical sightings of harbor porpoises
from lower to upper Cook Inlet that
spanned from a few animals to 92
individuals. The 2018 CIPL project that
occurred just north of the Action Area
in Cook Inlet reported 29 sightings of 44
individuals (Sitkiewicz et al., 2018).
While the duration of days that the tugs
are towing a jack-up rig will be less than
the CIPL project, given the increase in
sightings of harbor porpoise in recent
years, the sighting of harbor porpoise
during Hilcorp’s rig move in June 2022,
and the inability to shut down the tugs,
Hilcorp requests 44 takes of harbor
porpoise, commensurate with the
number observed in the nearby CIPL
project. Once the rig move to Tyonek is
removed from the calculation, as
Hilcorp completed that work before
issuance of these IHAs, calculated
exposure of harbor porpoise is less in
Year 1 than in Year 2. However, based
on Hilcorp’s monitoring report during
their initial rig move, more harbor
porpoises were seen than expected, so
NMFS did not reduce the authorized
take for Year 1 from what was originally
requested (which included the Tyonek
rig move in the calculation). As a result,
44 takes of harbor porpoise are
authorized for both Year 1 and Year 2.
Take of harbor seal and Steller sea
lion authorized for Year 1 and Year 2 is
based on the calculated exposure.
Because Hilcorp already completed a rig
move to Tyonek and that effort has been
removed from the calculation, take for
both species in Year 1 is less than in
Year 2.
Calculated take of Pacific white-sided
dolphins and California sea lions was
zero because the assumed density in
Cook Inlet is zero. For California sea
lions, any potential sightings would
likely be lone out of habitat individuals.
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Two solitary individuals were seen
during the 2012 Apache seismic survey
in Cook Inlet (Lomac-MacNair et al.,
2013). Two takes are authorized based
on the potential that two lone animals
could be sighted over a year of work, as
was seen during Apache’s year of work.
For Pacific white-sided dolphins, the
only reported visual sightings that
NMFS is aware of was three dolphins
from Apache’s monitoring efforts in
2014 in Kenai, which is in the general
vicinity of Hilcorp’s planned activities.
Therefore, NMFS authorized three takes
of Pacific white-sided dolphins
annually in case a repeated group of
similar size is encountered. For both
species, the same number of takes are
authorized for Year 1 and Year 2
because the calculated exposure for
each year would be zero given the lack
of density data, making the group size
methodology equally applicable to Year
1 and Year 2.
Mitigation
In order to issue an IHA under section
101(a)(5)(D) of the MMPA, NMFS must
set forth the permissible methods of
taking pursuant to the activity, and
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 certain subsistence uses.
NMFS regulations require applicants for
incidental take authorizations to include
information about the availability and
feasibility (economic and technological)
of equipment, methods, and manner of
conducting the activity or other means
of effecting the least practicable adverse
impact upon the affected species or
stocks and their habitat (50 CFR
216.104(a)(11)).
In evaluating how mitigation may or
may not be appropriate to ensure the
least practicable adverse impact on
species or stocks and their habitat, as
well as subsistence uses where
applicable, we carefully consider two
primary factors:
(1) The manner in which, and the
degree to which, the successful
implementation of the measure(s) is
expected to reduce impacts to marine
mammals, marine mammal species or
stocks, and their habitat, as well as
subsistence uses. This considers the
nature of the potential adverse impact
being mitigated (likelihood, scope,
range). It further considers the
likelihood that the measure will be
effective if implemented (probability of
accomplishing the mitigating result if
implemented as planned), the
likelihood of effective implementation
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62389
(probability implemented as planned),
and;
(2) The practicability of the measures
for applicant implementation, which
may consider such things as cost,
impact on operations, and, in the case
of a military readiness activity,
personnel safety, practicality of
implementation, and impact on the
effectiveness of the military readiness
activity.
Mitigation for Marine Mammals and
Their Habitat
NMFS anticipates the project, in both
of the two IHAs, will create an acoustic
footprint above ambient sound levels of
approximately 45 km2 around the tugs
positioning the jack-up rig or for
approximately 3.8 km in all directions
along a towing trajectory of
approximately 64 km (40 mi). There is
a discountable potential for marine
mammals to incur PTS from the project,
as source levels are relatively low, nonimpulsive, and animals would have to
remain at very close distances for
multiple hours to accumulate acoustic
energy at levels that could damage
hearing. Therefore, we do not believe
there is potential for Level A
harassment. However, Hilcorp will
implement a number of mitigation
measures designed to reduce the
potential for and severity of Level B
harassment, protect belugas in
important beluga whale habitat, and
minimize the acoustic footprint of the
project.
The tugs towing a jack-up rig are not
able to shut down while transiting or
positioning the rig. Hilcorp will
maneuver the tugs towing the jack-up
rig such that they maintain a consistent
speed (approximately 4 knots) and
avoid multiple changes of speed and
direction to make the course of the
vessels as predictable as possible to
marine mammals in the surrounding
environment, characteristics that are
expected to be associated with a lower
likelihood of disturbance. Hilcorp will
implement a clearance zone of 1,500
meters around the centerpoint of the
three tug configuration and will employ
two NMFS-approved protected species
observers (PSOs) to conduct marine
mammal monitoring for all mobile and
stationary activity involving tugs towing
attached to the jack-up rig. Prior to
commencing activities during daylight
hours or if there is a 30-minute lapse in
operational activities, the PSOs will
monitor the clearance zone for marine
mammals for 30 minutes. If no marine
mammals are observed, operations may
commence. If a marine mammal(s) is
observed within the clearance zone
during the clearing, the PSOs will
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continue to watch until either: (1) the
animal(s) is outside of and on a path
away from the clearance zone; or (2) 15
minutes have elapsed if the species was
a pinniped or small cetacean, or 30
minutes for large cetaceans whales.
Once the PSOs have determined one of
those conditions are met, operations
may commence.
Should a marine mammal be observed
during towing or positioning, the PSOs
will monitor and carefully record any
reactions observed until the jack-up rig
has reached its intended position. No
new operational activities would be
started until the animal leaves the area;
transitioning from tugging to positioning
without shutting down is not
considered a new operational activity.
PSOs will also collect behavioral
information on marine mammals
sighted during monitoring efforts.
Hilcorp will make every effort to
operate with the tide, resulting in a low
power output from the tugs towing the
jack-up rig. If human safety or
equipment integrity is at risk, Hilcorp
may necessarily operate in an
unfavorable tidal state. Due to the
nature of tidal cycles in Cook Inlet, it is
possible the most favorable tide for the
towing operation will occur during
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nighttime hours. Hilcorp will operate
the tugs towing the jack-up rigs at night
if the nighttime operations result in a
lower power output from the tugs by
operating with a favorable tide.
In low-light conditions, night-vision
devices shown to be effective at
detecting marine mammals in low-light
conditions (e.g., PVS–7 night-vision
devices or similar) will be provided to
PSOs to aid in low-light visibility. Every
effort will be made to observe that the
clearance zone is free of marine
mammals by using night-vision devices,
however it may not always be possible
to see and clear the entire clearance
zone prior to nighttime transport. PSOs
will monitor the greatest extent feasible
for 30 minutes immediately prior to the
start of load bearing activities. If no
marine mammals are observed,
operations may commence. If a marine
mammal is observed within the during
the clearing, the PSOs will continue to
watch until either: (1) the animal(s) is
outside of and on a path away from the
clearance zone; or (2) 15 minutes have
elapsed if the species was a pinniped or
small cetacean, or 30 minutes for large
cetaceans whales. Once the PSOs have
determined one of those conditions are
met, operations may commence.
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Out of concern for potential
disturbance to Cook Inlet beluga whales
in sensitive and essential habitat,
Hilcorp will not conduct noiseproducing activity within 16 km (10
miles) of the mean lower-low water
(MLLW) line of the Susitna River Delta
(Beluga River to the Little Susitna River)
between April 15 and November 15
with the exception of work conducted at
the Tyonek platform. The dates of
applicability of this exclusion zone have
been expanded based on new available
science, including visual surveys and
acoustic studies, which indicate that
substantial numbers of Cook Inlet
beluga whales continue to occur in the
Susitna Delta area through at least midNovember (M. Castellote, pers. comm.,
T. McGuire, pers. comm.). As the MLLW
is not a straight line but rather a jagged
contour following the coastline, it is
difficult to determine the southernmost
extent of the zone during operations.
For ease of implementation, the
southernmost extent of the Susitna Delta
exclusion zone will be considered a
straight line from Tyonek at the west to
Point Possession at the east (see Figure
3 below).
BILLING CODE 3510–22–P
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62391
Critical Habitat Area 2
Critical Habitat Exclusion Area
sllna Delta Exclusion Zone
rial $urvey Area
Figure 3 -- A map of the Susitna Delta exclusion zone and aerial survey area
During the course of consultation
under section 7 of the ESA, Hilcorp
notified NMFS that adhering to the
exclusion zone for the Tyonek platform
would not be practicable given the
operational and human safety concerns
of accessing the platform outside of the
open water season. Prior to tugging the
jack-up rig to and from the Tyonek
platform, Hilcorp will conduct a
systematic aerial survey of all marine
waters within a 10 mile radius of the
Tyonek platform that intersects with the
Susitna Delta exclusion zone, termed
the aerial survey area (see Figure 3) to
ensure the area is clear of beluga
whales. Aerial surveys will be flown
with a PSO observing for beluga whales
at an altitude of approximately 1,000 ft
(305 m). This survey will be conducted
no more than 12 hours (one half of one
tide cycle) prior to the proposed
departure of the rig from its moored or
anchored location. If beluga whales are
observed during the aerial survey prior
to mobilizing the jack-up rig to or from
the Tyonek platform, Hilcorp will not
begin mobilization of the rig until a
subsequent aerial survey indicates the
aerial survey area contains no beluga
whales. Starting from the proposed
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departure date, Hilcorp will conduct
aerial surveys as described above and if
belugas are seen in the aerial survey
area will defer moving the jack-up rig if
there is another departure date that fits
the tide/tug criteria for moving onto and
off of the dock within 8 days. If the rig
move is deferred until the next
departure window occurring within 8
days of the first proposed departure
date, Hilcorp will again conduct aerial
surveys and will defer moving the rig
until the last available tide for departure
that allows the tugs to complete the
transport in that second departure time
frame. If beluga whales are observed in
the aerial survey area prior to the last
available tide in the already deferred
second departure time-frame, Hilcorp
will move the jack-up rig to its next
location. If there is not another
departure date within 8 days of the first
proposed departure date, Hilcorp will
conduct multiple aerial surveys
(weather permitting) as described above
and if belugas are seen in the aerial
survey area will defer moving the rig
until the last available tide in that initial
departure window that fits with the tugs
availability to complete the rig
transport. If ice or other safety
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conditions exist that require the tugs to
move the jack-up rig to preserve human
safety, Hilcorp will move the jack-up rig
to its next location even if belugas are
observed in the aerial survey area.
Based on our evaluation of these
measures, for both IHAs, NMFS has
determined that the mitigation measures
provide the means of effecting the least
practicable impact on the affected
species or stocks and their habitat,
paying particular attention to rookeries,
mating grounds, and areas of similar
significance and on the availability of
such species or stock for subsistence
uses.
Monitoring and Reporting
In order to issue an IHA for an
activity, section 101(a)(5)(D) of the
MMPA states that NMFS must set forth
requirements pertaining to the
monitoring and reporting of such taking.
The MMPA implementing regulations at
50 CFR 216.104 (a)(13) indicate that
requests for authorizations must include
the suggested means of accomplishing
the necessary monitoring and reporting
that will result in increased knowledge
of the species and of the level of taking
or impacts on populations of marine
mammals that are expected to be
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present in the action area. Effective
reporting is critical both to compliance
as well as ensuring that the most value
is obtained from the required
monitoring.
Monitoring and reporting
requirements prescribed by NMFS
should contribute to improved
understanding of one or more of the
following:
• Occurrence of marine mammal
species or stocks in the area in which
take is anticipated (e.g., presence,
abundance, distribution, density).
• Nature, scope, or context of likely
marine mammal exposure to potential
stressors/impacts (individual or
cumulative, acute or chronic), through
better understanding of: (1) action or
environment (e.g., source
characterization, propagation, ambient
noise); (2) affected species (e.g., life
history, dive patterns); (3) co-occurrence
of marine mammal species with the
action; or (4) biological or behavioral
context of exposure (e.g., age, calving or
feeding areas).
• Individual marine mammal
responses (behavioral or physiological)
to acoustic stressors (acute, chronic, or
cumulative), other stressors, or
cumulative impacts from multiple
stressors.
• How anticipated responses to
stressors impact either: (1) long-term
fitness and survival of individual
marine mammals; or (2) populations,
species, or stocks.
• Effects on marine mammal habitat
(e.g., marine mammal prey species,
acoustic habitat, or other important
physical components of marine
mammal habitat).
• Mitigation and monitoring
effectiveness.
Hilcorp will abide by all monitoring
and reporting measures contained
within their Marine Mammal
Monitoring and Mitigation Plan, dated
March 7, 2022. A summary of those
measures and additional requirements
required by NMFS is provided below.
A minimum of two NMFS-approved
PSOs will be on-watch during all
activities wherein the jack-up rig is
attached to the tugs for the duration of
the project. Minimum requirements for
a PSO include:
(a) Visual acuity in both eyes
(correction is permissible) sufficient for
discernment of moving targets at the
water’s surface with ability to estimate
target size and distance; use of
binoculars may be necessary to correctly
identify the target;
(b) Advanced education in biological
science or related field (undergraduate
degree or higher required)—PSOs may
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also substitute Alaska native traditional
knowledge for experience;
(c) Experience and ability to conduct
field observations and collect data
according to assigned protocols (this
may include academic experience);
(d) Experience or training in the field
identification of marine mammals,
including the identification of
behaviors;
(e) Sufficient training, orientation, or
experience with the activity to provide
for personal safety during observations;
(f) Writing skills sufficient to prepare
a report of observations including but
not limited to the number and species
of marine mammals observed; dates and
times when tugging activities were
conducted; dates and times when
tugging activities were suspended; and
marine mammal behavior; and
(g) Ability to communicate orally, by
radio or in person, with project
personnel to provide real-time
information on marine mammals
observed in the area as necessary.
PSOs will be stationed aboard a tug or
the jack-up rig, work in shifts lasting no
more than 4 hours without a minimum
of a 1 hour break, and will not be onwatch for more than 12 hours within a
24-hour period.
Hilcorp will submit monthly reports
for all months in which tugs towing or
positioning the jack-up rig occurs. A
draft marine mammal monitoring report
would be submitted to NMFS within 90
days after the completion of the tug
towing jack-up rig activities for the year.
It will include an overall description of
work completed, a narrative regarding
marine mammal sightings, and
associated marine mammal observation
data sheets. Specifically, the report must
include:
• Date and time that monitored
activity begins or ends;
• Construction activities occurring
during each observation period;
• Weather parameters (e.g., percent
cover, visibility);
• Water conditions (e.g., sea state,
tide state);
• Species, numbers, and, if possible,
sex and age class of marine mammals;
• Description of any observable
marine mammal behavior patterns,
including bearing and direction of travel
and distance from tugging activity;
• Distance from tugging activities to
marine mammals and distance from the
marine mammals to the observation
point;
• Locations of all marine mammal
observations; and
• Other human activity in the area.
If no comments are received from
NMFS within 30 days, the draft final
report will constitute the final report. If
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NMFS submits comments, Hilcorp will
submit a final report addressing NMFS
comments within 30 days after receipt
of comments.
In the unanticipated event that the
specified activity clearly causes the take
of a marine mammal in a manner
prohibited by the IHAs (if issued), such
as an injury, serious injury or mortality,
Hilcorp would immediately cease the
specified activities and report the
incident to the Chief of the Permits and
Conservation Division, Office of
Protected Resources, NMFS, and the
Alaska Regional Stranding Coordinator.
The report would include the following
information:
• Description of the incident;
• Environmental conditions (e.g.,
Beaufort sea state, visibility);
• Description of all marine mammal
observations in the 24 hours preceding
the incident;
• Species identification or
description of the animal(s) involved;
• Fate of the animal(s); and
• Photographs or video footage of the
animal(s) (if equipment is available).
Activities would not resume until
NMFS is able to review the
circumstances of the prohibited take.
NMFS would work with Hilcorp to
determine what is necessary to
minimize the likelihood of further
prohibited take and ensure MMPA
compliance. Hilcorp would not be able
to resume their activities until notified
by NMFS via letter, email, or telephone.
In the event that Hilcorp discovers an
injured or dead marine mammal, and
the lead PSO determines that the cause
of the injury or death is unknown and
the death is relatively recent (e.g., in
less than a moderate state of
decomposition as described in the next
paragraph), Hiclrop would immediately
report the incident to the Chief of the
Permits and Conservation Division,
Office of Protected Resources, NMFS,
and the NMFS Alaska Stranding Hotline
and/or by email to the Alaska Regional
Stranding Coordinator. The report
would include the same information
identified in the paragraph above.
Activities would be able to continue
while NMFS reviews the circumstances
of the incident. NMFS would work with
Hilcorp to determine whether
modifications in the activities are
appropriate.
In the event that Hilcorp discovers an
injured or dead marine mammal and the
lead PSO determines that the injury or
death is not associated with or related
to the activities authorized in the IHAs
(e.g., previously wounded animal,
carcass with moderate to advanced
decomposition, or scavenger damage),
Hilcorp would report the incident to the
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Chief of the Permits and Conservation
Division, Office of Protected Resources,
NMFS, and the NMFS Alaska Stranding
Hotline and/or by email to the Alaska
Regional Stranding Coordinator, within
24 hours of the discovery. Hilcorp
would provide photographs or video
footage (if available) or other
documentation of the stranded animal
sighting to NMFS and the Marine
Mammal Stranding Network.
Negligible Impact Analysis and
Determination
NMFS has defined negligible impact
as an impact resulting from the
specified activity that cannot be
reasonably expected to, and is not
reasonably likely to, adversely affect the
species or stock through effects on
annual rates of recruitment or survival
(50 CFR 216.103). A negligible impact
finding is based on the lack of likely
adverse effects on annual rates of
recruitment or survival (i.e., populationlevel effects). An estimate of the number
of takes alone is not enough information
on which to base an impact
determination. In addition to
considering estimates of the number of
marine mammals that might be ‘‘taken’’
through harassment, NMFS considers
other factors, such as the likely nature
of any impacts or responses (e.g.,
intensity, duration), the context of any
impacts or responses (e.g., critical
reproductive time or location, foraging
impacts affecting energetics), as well as
effects on habitat, and the likely
effectiveness of the mitigation. We also
assess the number, intensity, and
context of estimated takes by evaluating
this information relative to population
status. Consistent with the 1989
preamble for NMFS’ implementing
regulations (54 FR 40338, September 29,
1989), the impacts from other past and
ongoing anthropogenic activities are
incorporated into this analysis via their
impacts on the baseline (e.g., as
reflected in the regulatory status of the
species, population size and growth rate
where known, ongoing sources of
human-caused mortality, or ambient
noise levels).
To avoid repetition, the discussion of
our analysis applies to all the species
listed in Table 15, given that the
anticipated effects of this activity on
these different marine mammal stocks
are expected to be similar in nature.
There is little information about the
nature or severity of the impacts, or the
size, status, or structure of any of these
species or stocks that would lead to a
different analysis for this activity.
Where there are meaningful differences
between species or stocks, or groups of
species, in anticipated individual
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responses to activities, impact of
expected take on the population due to
differences in population status, or
impacts on habitat, they are described
independently in the analysis below.
The project would create an acoustic
footprint around the project area for a
total of 14 to 16 days per year from
approximately April through October,
though not necessarily in the same
calendar year. Noise levels within the
footprint would reach or exceed 120 dB
rms. We anticipate the 120 dB footprint
to be limited to no more than 45 km2
around the tugs positioning the jackup
rig or approximately 3.8 km in all
directions along a towing trajectory of
approximately 64 km. The habitat
within the footprint is not heavily used
by marine mammals during the project
time frame (e.g., Cook Inlet beluga
whale Critical Habitat Area 2, within
which the activity resulting in the take
of marine mammals is anticipated to
potentially occur, is designated for
beluga fall and winter use) and marine
mammals are not known to engage in
critical behaviors associated with this
portion of Cook Inlet (e.g., no known
breeding grounds, foraging habitat, etc.).
Most animals will likely be transiting
through the area; therefore, exposure
would be brief. The tugs would be
moving at a relatively slow speed and in
a predictable manner that is not
expected to result in more severe
behavioral responses. Animals may
swim around the project area, avoiding
closer approaches to the boats, but we
do not expect them to abandon any
intended path.
Feeding behavior is not likely to be
significantly impacted, as no areas of
biological significance for marine
mammal feeding are known to exist in
the project area and individual marine
mammals are not expected to be
exposed to the noise from the activities
repeatedly or in long durations. We also
expect the number of animals exposed
to be small relative to population sizes.
Finally, Hilcorp will minimize potential
exposure of marine mammals to
elevated noise levels by not
commencing tugging activities if marine
mammals are observed within the
immediate starting area. Hilcorp is also
able to reduce the impact of their
activity by conducting tugging
operations with favorable tides
whenever feasible. Given this, any
behavioral disturbance is expected to be
comparatively low level and unlikely to
affect the reproduction success or
survival of any individuals, much less
the population or stock.
Potential impacts to marine mammal
habitat were discussed previously in
this document (see Potential Effects of
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Specified Activities on Marine
Mammals and their Habitat). Marine
mammal habitat may be impacted by
elevated sound levels, but these impacts
would be temporary. In addition to
being temporary and short in overall
duration, the acoustic footprint of both
years of activity is small relative to the
overall distribution of the animals in the
area and their use of the area.
In summary and as described above,
the following factors primarily support
our determinations that the impacts
resulting from the activities described
for these two IHAs are not expected to
adversely affect the species or stock
through effects on annual rates of
recruitment or survival:
• No mortality, serious injury, or
injury is anticipated or authorized;
• The mobile portion of the project
does not involve noise sources capable
of inducing PTS in any species other
than high frequency cetaceans, and due
to the small size of the PTS isopleth for
high frequency cetaceans (6 meters), it
is unlikely to occur;
• Exposure would likely be brief
given transiting behavior of marine
mammals in the action area and the
small number of days on which the
activity is occurring;
• Marine mammal densities are low
in the project area; therefore, there will
not be substantial numbers of marine
mammals exposed to the noise from the
project compared to the affected
population sizes; and
• Hilcorp will monitor for marine
mammals daily and minimize exposure
to operational activities.
Based on the analysis contained
herein of the likely effects of the
specified activity on marine mammals
and their habitat, and taking into
consideration the implementation of the
monitoring and mitigation measures,
NMFS finds that the total marine
mammal take from the activity
described in the Year 1 IHA will have
a negligible impact on all affected
marine mammal species or stocks. Also,
separately, NMFS finds that the total
marine mammal take from the activity
described in the Year 2 IHA will have
a negligible impact on all affected
marine mammal species or stocks.
Small Numbers
As noted above, only small numbers
of incidental take may be authorized
under sections 101(a)(5)(A) and (D) of
the MMPA for specified activities other
than military readiness activities. The
MMPA does not define small numbers
and so, in practice, where estimated
numbers are available, NMFS compares
the number of individuals taken to the
most appropriate estimation of
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abundance of the relevant species or
stock in our determination of whether
an authorization is limited to small
numbers of marine mammals. When the
predicted number of individuals to be
taken is fewer than one third of the
species or stock abundance (as it is for
all stocks in both the Year 1 and Year
2 IHAs), the take is considered to be of
small numbers. Additionally, other
qualitative factors may be considered in
the analysis, such as the temporal or
spatial scale of the activities.
Table 15 provides the quantitative
analysis informing our small numbers
determinations for the Year 1 and Year
2 IHAs. For most species, the amount of
take authorized represents less than
approximately two percent of the
population for each IHA. For beluga
whales, the amount of take authorized
represents slightly under 8 percent of
the population for each IHA.
TABLE 15—PERCENT OF STOCK AUTHORIZED TO BE TAKEN BY LEVEL B HARASSMENT UNDER EACH IHA
Year 1:
Humpback whale .....................................
Minke whale .............................................
Gray whale ...............................................
Fin whale .................................................
Killer whale ..............................................
Beluga whale ...........................................
Pacific white-sided dolphin ......................
Dall’s porpoise .........................................
Harbor porpoise .......................................
Harbor seal ..............................................
Steller sea lion .........................................
California sea lion ....................................
Year 2:
Humpback whale .....................................
Minke whale .............................................
Gray whale ...............................................
Fin whale .................................................
Killer whale ..............................................
Beluga whale ...........................................
Pacific white-sided dolphin ......................
Dall’s porpoise .........................................
Harbor porpoise .......................................
Harbor seal ..............................................
Steller sea lion .........................................
California sea lion ....................................
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Based on the analysis contained
herein of the activity (including the
mitigation and monitoring measures)
and the anticipated take of marine
mammals, NMFS finds that small
numbers of marine mammals will be
taken relative to the population size of
the affected species or stocks for the
Year 1 IHA. Separately, NMFS also
finds that small numbers of marine
mammals will be taken relative to the
population size of the affected species
or stocks for the Year 2 IHA.
Unmitigable Adverse Impact Analysis
and Determination
In order to issue an IHA, NMFS must
find that the specified activity will not
have an unmitigable adverse impact on
the availability of such species or stock
for taking for subsistence uses by Alaska
Natives. NMFS has defined
‘‘unmitigable adverse impact’’ in 50 CFR
216.103 as 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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Authorized
take
(Level B)
Stock
Abundance
(Nbest)
Western North Pacific; Central North Pacific
Alaska .............................................................
Eastern Pacific ...............................................
Northeastern Pacific .......................................
Alaska Resident, Gulf of Alaska, Aleutian Islands, and Bering Sea Transient.
Cook Inlet .......................................................
North Pacific ...................................................
Alaska .............................................................
Gulf of Alaska .................................................
Cook Inlet/Shelikof .........................................
Western ..........................................................
U.S. ................................................................
1,107; 10,103
1,233
26,960
2,554
587; 2,347
5
6
2
4
10
0.45; 0.05
0.49
0.01
0.16
1.7; 0.43
279
26,880
83,400
31,046
26,907
53,624
233,515
11
3
6
44
418
13
2
3.94
0.01
0.01
0.14
1.55
0.02
0.00
Western North Pacific; Central North Pacific
Alaska .............................................................
Eastern Pacific ...............................................
Northeastern Pacific .......................................
Alaska Resident Gulf of Alaska, Aleutian Islands, and Bering Sea Transient.
Cook Inlet .......................................................
North Pacific ...................................................
Alaska .............................................................
Gulf of Alaska .................................................
Cook Inlet/Shelikof .........................................
Western ..........................................................
U.S. ................................................................
1,107; 10,103
1,233
26,960
2,554
587
6
6
2
4
10
0.5; 0.06
0.49
0.01
0.16
1.7; 0.43
279
26,880
83,400
31,046
26,907
53,624
233,515
22
3
6
44
554
17
2
7.89
0.01
0.01
0.14
2.06
0.03
0.00
Species
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.
To further minimize any potential
effects of their action on subsistence
activities, Hilcorp has outlined their
communication plan for engaging with
subsistence users in their Stakeholder
Engagement Plan (Appendix B of
Hilcorp’s application). Hilcorp will be
required to abide by this plan and
update the plan accordingly.
Subsistence communities identified
as project stakeholders near Hilcorp’s
middle Cook Inlet and Trading Bay
activities include the Village of
Salamatof and the Native Village of
Tyonek. The ADF&G Community
Subsistence Information System does
not contain data for Salamatof. For the
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Percent of
stock
purposes of our analyses for the Year 1
and Year 2 IHAs, we can assume the
subsistence uses are similar to those of
nearby communities such as Kenai. At
3.5 km away from the closest point of
approach, Tyonek is the closest
subsistence community to Hilcorp’s
planned tug route. Tyonek, on the
western side of lower Cook Inlet, has a
subsistence harvest area that extends
from the Susitna River south to Tuxedni
Bay (BOEM, 2016). In Tyonek, harbor
seals were harvested between June and
September by 6 percent of the
households (Jones et al., 2015). Seals
were harvested in several areas,
encompassing an area stretching 32.2
km (20 miles) along the Cook Inlet
coastline from the McArthur Flats north
to the Beluga River. Seals were searched
for or harvested in the Trading Bay areas
as well as from the beach adjacent to
Tyonek (Jones et al., 2015).
Cook Inlet beluga whale subsistence
harvest discontinued in 1999 as a result
of both a voluntary moratorium by the
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hunters that spring, and the passage of
Public Law 106–31, section 3022 (later
made permanent by Pub. L. 106–553,
section 627), requiring any taking of
Cook Inlet beluga whales by Alaska
Natives to occur pursuant to a
cooperative agreement between NMFS
and affected Alaska Native
organizations. A co-management
agreement allowed the harvest of two
whales in 2005 and one whale in 2006;
however, no whales were taken in 2006
due to poor weather and the avoidance
of females with calves. In 2008, NMFS
issued regulations (73 FR 60976,
October 15, 2008) establishing long-term
limits on the maximum number of Cook
Inlet beluga whales that may be taken
for subsistence by Alaska Natives. These
long-term harvest limits, developed for
5-year intervals, require that the
abundance estimates reach a minimum
5-year average of 350 belugas (50 CFR
216.23(f)(2)(v)). No hunt has been
authorized since 2006.
Subsistence hunting of whales is not
known to currently occur in Cook Inlet.
Hilcorp’s tug towing jack-up rig
activities may overlap with subsistence
hunting of seals. However, these
activities typically occur along the
shoreline or very close to shore near
river mouths, whereas most of Hilcorp’s
tugging is in the middle of the Inlet and
rarely near the shoreline or river
mouths. Any harassment to harbor seals
is anticipated to be short-term, mild,
and not result in any abandonment or
behaviors that would make the animals
unavailable to Alaska Natives.
Based on the description of the
specified activity, the measures
described to minimize adverse effects
on the availability of marine mammals
for subsistence purposes, and the
mitigation and monitoring measures,
NMFS has determined that there will
not be an unmitigable adverse impact on
subsistence uses from Hilcorp’s
activities under the Year 1 IHA.
Separately, NMFS has also determined
that there will not be an unmitigable
adverse impact on subsistence uses from
Hilcorp’s activities under the Year 2
IHA.
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NMFS prepared an Environmental
Assessment (EA) and analyzed the
potential impacts to marine mammals
that would result from the Hilcorp tug
towing jack-up rig activity. A Finding of
No Significant Impact (FONSI) was
signed on September 14, 2022. A copy
of the EA and FONSI is available upon
request.
17:22 Oct 13, 2022
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Authorization
NMFS has issued two IHAs to Hilcorp
for the potential harassment of small
numbers of 12 marine mammal species
incidental to tugging a jack-up rig in
Cook Inlet, Alaska, that include the
aforementioned mitigation, monitoring
and reporting requirements.
Dated: October 7, 2022.
Catherine G. Marzin,
Deputy Director, Office of Protected
Resources, National Marine Fisheries Service.
[FR Doc. 2022–22343 Filed 10–13–22; 8:45 am]
BILLING CODE 3510–22–P
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
[RTID 0648–XC442]
Fisheries of the South Atlantic, Gulf of
Mexico, and Caribbean; Southeast
Data, Assessment, and Review
(SEDAR) Public Meeting
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Notice of SEDAR Procedural
Workshop 8: Fishery Independent Index
Development under Changing Survey
Design.
AGENCY:
The SEDAR Procedural
Workshop 8 for Fishery Independent
Index Development will consist of a
series of webinars, and an in-person
workshop. See SUPPLEMENTARY
INFORMATION.
DATES: The SEDAR Procedural
Workshop 8 will be held Wednesday,
November 2, 2022, from 9 a.m. until 5
p.m., Eastern; Thursday, November 3,
2022, from 9 a.m. until 5 p.m., Eastern;
SUMMARY:
National Environmental Policy Act
VerDate Sep<11>2014
Endangered Species Act
NMFS authorized take of humpback
whales (Mexico DPS, Western North
Pacific DPS), fin whales (Northeastern
Pacific stock), beluga whales (Cook Inlet
stock), and Steller sea lion (Western
DPS), which are listed under the ESA.
The NMFS Alaska Regional Office
Protected Resources Division issued a
Biological Opinion on September 9,
2022 under section 7 of the ESA, on the
issuance of an IHA to Hilcorp under
section 101(a)(5)(D) of the MMPA by the
NMFS Permits and Conservation
Division. The Biological Opinion
concluded that the action is not likely
to jeopardize the continued existence of
these populations, and is not likely to
destroy or adversely modify critical
habitat.
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62395
and Friday, November 4, 2022, from 9
a.m. until 3 p.m., Eastern. The
established times may be adjusted as
necessary to accommodate the timely
completion of discussion relevant to the
SEDAR process. Such adjustments may
result in the meeting being extended
from or completed prior to the time
established by this notice.
ADDRESSES:
Meeting address: The SEDAR
Procedural Workshop 8 meeting will be
held at the Gulf of Mexico Fishery
Management Council Office, 4107 West
Spruce Street Suite 200, Tampa, FL
33607; phone: (888) 833–1844.
SEDAR address: 4055 Faber Place
Drive, Suite 201, N. Charleston, SC
29405; www.sedarweb.org.
Julie
A. Neer, SEDAR Program Manager, 4055
Faber Place Drive, Suite 201, North
Charleston, SC 29405; phone: (843) 571–
4366 or toll free: (866)/SAFMC–10; fax:
(843) 769–4520; email: Julie.neer@
safmc.net.
FOR FURTHER INFORMATION CONTACT:
SEDAR
procedural workshops provide an
opportunity for focused discussion and
deliberation on topics that arise in
multiple assessments and are structured
to develop best practices for addressing
common issues across assessments. The
SEDAR Steering Committee agreed that
previously completed procedural
workshops were effective and that
similar workshops should be held to
address other issues that affect multiple
assessments. Continuing to address such
global issues is recognized as important
to continuing improvements in
efficiency and quality.
The 8th procedural workshop will
consider methods of addressing the
development for fishery-independent
indices of abundance under changing
survey designs. Participants will
prepare a SEDAR procedures document
addressing their recommendations that
will be used to guide future SEDAR
assessments.
Although non-emergency issues not
contained in this agenda may come
before this group for discussion, those
issues may not be the subject of formal
action during this meeting. Action will
be restricted to those issues specifically
identified in this notice and any issues
arising after publication of this notice
that require emergency action under
section 305(c) of the Magnuson-Stevens
Fishery Conservation and Management
Act, provided the public has been
notified of the intent to take final action
to address the emergency.
SUPPLEMENTARY INFORMATION:
E:\FR\FM\14OCN1.SGM
14OCN1
Agencies
[Federal Register Volume 87, Number 198 (Friday, October 14, 2022)]
[Notices]
[Pages 62364-62395]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2022-22343]
[[Page 62364]]
-----------------------------------------------------------------------
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
[RTID 0648-XC359]
Takes of Marine Mammals Incidental to Specified Activities;
Taking Marine Mammals Incidental to Tugs Towing Drill Rig in Cook
Inlet, Alaska
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Notice; issuance of incidental harassment authorizations.
-----------------------------------------------------------------------
SUMMARY: In accordance with the regulations implementing the Marine
Mammal Protection Act (MMPA) as amended, notification is hereby given
that NMFS has issued two incidental harassment authorizations (IHAs) to
Hilcorp Alaska LLC to incidentally harass, by Level B harassment only,
marine mammals during tugs towing jack-up rig activity in Cook Inlet,
Alaska.
DATES: These authorizations are effective from September 14, 2022
through September 13, 2023 and September 14, 2023 through September 13,
2024.
FOR FURTHER INFORMATION CONTACT: Sara Young, Office of Protected
Resources, NMFS, (301) 427-8401. Electronic copies of the application
and supporting documents, as well as a list of the references cited in
this document, may be obtained online at: https://www.fisheries.noaa.gov/permit/incidental-take-authorizations-under-marine-mammal-protection-act. In case of problems accessing these
documents, please call the contact listed above.
SUPPLEMENTARY INFORMATION:
Background
The MMPA prohibits the ``take'' of marine mammals, with certain
exceptions. Sections 101(a)(5)(A) and (D) of the MMPA (16 U.S.C. 1361
et seq.) direct the Secretary of Commerce (as delegated to NMFS) to
allow, upon request, the incidental, but not intentional, taking of
small numbers of marine mammals by U.S. citizens who engage in a
specified activity (other than commercial fishing) within a specified
geographical region if certain findings are made and either regulations
are proposed or, if the taking is limited to harassment, a notice of a
proposed incidental harassment authorization is provided to the public
for review.
Authorization for incidental takings shall be granted if NMFS finds
that the taking will have a negligible impact on the species or
stock(s) and will not have an unmitigable adverse impact on the
availability of the species or stock(s) for taking for subsistence uses
(where relevant). Further, NMFS must prescribe the permissible methods
of taking and other ``means of effecting the least practicable adverse
impact'' on the affected species or stocks and their habitat, paying
particular attention to rookeries, mating grounds, and areas of similar
significance, and on the availability of the species or stocks for
taking for certain subsistence uses (referred to in shorthand as
``mitigation''); and requirements pertaining to the mitigation,
monitoring and reporting of the takings are set forth. The definitions
of all applicable MMPA statutory terms cited above are included in the
relevant sections below.
Summary of Request
NMFS previously issued Incidental Take Regulations (ITRs) to
Hilcorp for a suite of oil and gas activities in Cook Inlet, Alaska (84
FR 37442, July 31, 2019) and issued three letters of authorization
(LOAs) under those ITRs. The ITRs covered activities including: two-
dimensional (2D) and three-dimensional (3D) seismic surveys, geohazard
surveys, and vibratory sheet pile driving. On September 17, 2019, Cook
Inletkeeper and the Center for Biological Diversity filed suit in the
District of Alaska challenging NMFS's issuance of the ITRs and LOAs and
supporting documents (the Environmental Assessment (EA) and Endangered
Species Act (ESA) Biological Opinion). In a decision issued on March
30, 2021, the court ruled largely in NMFS's favor, but found a lack of
adequate support in NMFS's record for the agency's determination that
tug towing of drill rigs in connection with production activity will
not cause take of beluga whales and remanded back to NMFS for further
analysis of tug use under the MMPA, ESA, and National Environmental
Policy Act (NEPA).
Hilcorp notified NMFS that all activities described in their
initial ITR application (2018) and for which incidental take was
authorized have already been completed or will not be completed under
the ITRs. Accordingly, NMFS has begun the process of withdrawing the
2019 ITRs. As a result, the only remaining activity to be analyzed for
incidental take and authorization thereof is the use of tugs towing a
jack-up rig.
On January 13, 2022, NMFS received a request from Hilcorp for two
back-to-back IHAs to take marine mammals incidental to tugs towing a
drill rig in Cook Inlet, Alaska. The application was deemed adequate
and complete on March 8, 2022. Hilcorp's request is for take of small
numbers of 12 species of marine mammals by Level B harassment only.
Neither Hilcorp nor NMFS expects serious injury or mortality to result
from this activity and, therefore, IHAs are appropriate.
As described in our Federal Register notice of proposed IHAs (87 FR
27597, May 9, 2022), NMFS considered the potential effects of tug
towing a jack-up rig on marine mammals. The slow, predictable, and
generally straight path of this tug configuration makes it unlikely
that marine mammals would be exposed to the tugs towing a jack-up rig
such that harassment would occur. However, there is overall potential
for exposure in combination with the nature of the tug and jack-up rig
configuration (e.g., difficult to maneuver, potential need to operate
at night), making it possible that take could occur over the total
estimated period of tug activities. Because of this possibility, NMFS
proposed take by Level B harassment from Hilcorp's use of tugs towing a
jack-up rig in Cook Inlet, Alaska.
In a letter dated April 28, 2022, Hilcorp notified NMFS of their
need to begin tugging the jack-up rig in May due to depleted energy
reserves for the Southcentral Alaska region. NMFS concurred with
Hilcorp's assessment that take of marine mammals by Level B harassment
was unlikely to occur incidental to the transport of the jack-up rig
from the Rig Tender's Dock in Nikiski to the Tyonek platform in middle
Cook Inlet, as described in Hilcorp's letter. Hilcorp completed one
move of their jack-up rig during the time that NMFS processed the
request for IHAs; this rig move was included in Hilcorp's original
application and was factored into our exposure estimate calculations
accordingly. We have therefore removed that portion of the rig move
from our analysis as it was already completed. Please refer to the
Changes from Proposed IHAs to Final IHAs section later in this document
for additional discussion. Below we discuss the IHAs as issued.
Description of Activity
Overview
Hilcorp Alaska, LLC (Hilcorp) plans to carry out activities that
will occur during two separate consecutive one-year IHA periods--from
September 1, 2022, to August 31, 2023 (Year 1), and from September 1,
2023, to August 31, 2024 (Year 2). Hilcorp plans to use three
[[Page 62365]]
ocean-going tugs to tow a jack-up rig in support of plugging and
abandonment (P&A) of an existing well and to support production
drilling at other locations in middle Cook Inlet and Trading Bay over
the course of 2 years.
Dates and Duration
The schedule for Hilcorp's P&A and production drilling activities
is provided in Table 1 below. The noise-producing rig-towing activities
for which take is authorized would occur in between those activities,
for approximately 14 days per year for Year 1 and 16 days for Year 2.
Table 1--Dates and Durations of Planned Activities in Cook Inlet
----------------------------------------------------------------------------------------------------------------
Project type Cook Inlet region Timing Duration of activity *
----------------------------------------------------------------------------------------------------------------
Year 1:
Plug and Abandonment of Well Middle Cook Inlet...... April-November......... 30 days.
17589.
Production Drilling............. Middle Cook Inlet April-November......... 180 days.
Trading Bay.
Year 2:
Production Drilling............. Middle Cook Inlet April-November......... 180 days.
Trading Bay.
----------------------------------------------------------------------------------------------------------------
* Duration is in reference to the supported activity that requires the jack-up rig to be in a specific location.
It is not reflective of the duration or the number of days the jack-up rig is towed.
Specific Geographic Region
Hilcorp's activities will take place in Cook Inlet, Alaska. For the
purposes of this project, lower Cook Inlet refers to waters south of
the East and West Forelands; middle Cook Inlet refers to waters north
of the East and West Forelands and south of Threemile River on the west
and Point Possession on the east; Trading Bay refers to waters from
approximately the Granite Point Tank Farm on the north to the West
Foreland on the south; and upper Cook Inlet refers to waters north and
east of Beluga River on the west and Point Possession on the east. A
map of the specific area in which Hilcorp plans to operate is provided
in Figure 1 below.
BILLING CODE 3510-22-P
[[Page 62366]]
[GRAPHIC] [TIFF OMITTED] TN14OC22.069
BILLING CODE 3510-22-C
Detailed Description of Specific Activity
Hilcorp plans to use three tugs to pull and position a jack-up rig
in support of well plugging and abandonment (P&A) and support of
production drilling by using the rig as a temporary drilling platform.
Hilcorp plans to use the jack-up rig Spartan 151, or similar. A jack-up
rig is a type of mobile offshore drill unit used in offshore oil and
gas drilling activities. It is comprised of a buoyant mobile platform
or hull with moveable legs that are adjusted to raise and lower
[[Page 62367]]
the hull over the surface of the water. The Spartan 151 (or similar)
will be towed via three ocean-going tugs. The horsepower (hp) of each
of the three tugs used to tow the jack-up rig may range between 4,000
and 8,000. Three tugs are needed to safely and effectively pull the
jack-up rig into the correct position where it can be temporarily
secured to the seafloor. Specifications of the tugs anticipated for use
are provided in Table 2 below. If these specific tugs are not
available, the tugs contracted would be of similar size and power to
those listed in Table 2.
Table 2--Description of Tugs Towing the Jack-Up Rig
------------------------------------------------------------------------
Vessel name Specifications
------------------------------------------------------------------------
M/V Bering Wind........................... 22-m length x 10-m breadth,
144 gross tonnage.
M/V Anna T................................ 32-m length x 11-m breadth,
160 gross tonnage.
M/V Bob Franco............................ 37-m length x 11-m breadth,
196 gross tonnage.
------------------------------------------------------------------------
The amount of time the tugs are under load transiting, holding, and
positioning the jack-up rig in Cook Inlet is tide-dependent. The power
output of the tugs depends on whether the tugs are towing with or
against the tide and can vary across a tide cycle as the current
increases or decreases in speed over time. Hilcorp will make every
effort to transit with the tide (which requires lower power output) and
minimize transit against the tide (which requires higher power output).
The jack-up rig will be transported via towing by three ocean-going
tugs, with final demobilization at the Rig Tenders Dock in Nikiski,
Alaska (where mobilization began). Towing the jack-up rig northward
with an incoming tide or southward with an outgoing tide requires less
than half power, generally only 20 to 30 percent of total power output
(Durham 2021, pers. comm.). A high slack tide is preferred to position
the jack-up rig on an existing platform or well site. The relatively
slow current and calm conditions at a slack tide enable the tugs to
perform the fine movements necessary to safely position the jack-up rig
within several feet of the platform. Positioning and securing the jack-
up rig is generally performed at high slack tide rather than low slack
tide to pin the legs down at an adequate height to ensure the hull of
the jack-up rig remains above the water level of the subsequent
incoming high tide. Because 12 hours elapse between each high slack
tide, tugs are generally under load for those 12 hours during rig
mobilization and demobilization, even if the towed distance is small,
as high slack tides are preferred to both attach and detach the jack-up
rig from the tugs. Once the tugs are on location with the jack-up rig
at high slack tide (12 hours from the previous departure), there is a 1
to 2-hour window when the tide is slow enough for the tugs to initiate
positioning the jack-up rig and pin the legs to the seafloor on
location. The tugs are estimated to be under load, generally at half-
power conditions or less, for up to 14 hours from the time of departure
through the initial positioning attempt of the jack-up rig. If the
first positioning attempt takes longer than anticipated, the increasing
current speed prevents the tugs from safely positioning the jack-up rig
on location. If the first positioning attempt is not successful, the
jack-up rig will be pinned down at a nearby location and the tugs will
be released from the jack-up rig and no longer under load. The tugs
will remain nearby, generally floating with the current. Approximately
an hour before the next high slack tide, the tugs will re-attach to the
jack-up rig and reattempt positioning over a period of 2 to 3 hours.
Positioning activities are generally at half power. If a third attempt
is needed, the tugs would be under load holding or positioning the
jack-up rig on a second day for up to 5 hours. The vast majority of the
time, the jack-up rig can be successfully positioned over the platform
in one or two attempts.
A location-to-location transport (e.g., platform-to-platform) of a
jack-up rig is conducted similarly to the mobilization from the Rig
Tenders Dock described above with one main difference. In a location-
to-location transport in middle Cook Inlet or Trading Bay, there is no
harbor available for temporary staging to avoid transiting against the
tide. Maintaining position of the jack-up rig against the tidal current
can require more than half power (up to 90 percent power at the peak
tidal outflow). However, greater than half power effort is only needed
for short periods of time during the maximum tidal current, expected to
be no more than 3 hours maximum. During a location-to-location
transport, the tugs will transport the jack-up rig traveling with the
tide in nearly all circumstances except in situations that threaten
human safety and/or infrastructure integrity. There may be a situation
wherein the tugs pulling the jack-up rig begin transiting with the tide
to their next location, miss the tide window to safely set the jack-up
rig on the platform or pin it nearby, and so have to transport the
jack-up rig against the tide to a safe harbor. Tugs may also need to
transport the jack-up rig against the tide if large pieces of ice or
extreme wind events threaten the stability of the jack-up rig on the
platform.
Although the variability in power output from the tugs can range
from an estimated 20 percent to 90 percent throughout the hours under
load with the jack-up rig, as described above, the majority of the
hours (spent transiting, holding, and positioning) occur at half power
or less. See the Estimated Take section below for more detail on
assumptions related to power output.
Year 1--For the first year of activity, Hilcorp will use three tugs
to pull the jack-up rig for P&A of Well 17589, which began in 2021 but
was not completed due to equipment sourcing issues. Prior to pinning
the jack-up rig legs to the seafloor, a multi-beam sonar may be used to
ensure the seafloor is clear of debris that may impact the ability to
pin down the legs of the platform. The multi-beam echosounder emits
high frequency (240 kilohertz (kHz)) energy in a fan-shaped pattern of
equidistant or equiangular beam spacing. The multi-beam sonar operates
at a frequency outside of marine mammal hearing range and is not
addressed further in our analysis. After the rig is secure, divers
enter the water and use hand tools to complete the P&A process. In
addition to the hand tools, the divers will also use water jets to wash
away debris and marine growth on the structure (e.g., a CaviDyne
CaviBlaster). Based on measurements conducted by Hilcorp during 2017
use of water jets, the source level for the CaviBlaster[supreg] was
estimated as 176 decibels (dB) re 1 micropascal ([mu]Pa) root mean
square (rms) with a Level B harassment threshold of 860 m, with most
energy concentrated above 500 Hz with a dominant tone near 2 kHz.
Hilcorp plans to put a protected species observer (PSO) on watch to
monitor the full extent of the harassment zone and shutdown when a
marine mammal approaches the zone during water jet use. Because of
this, Hilcorp is not requesting take associated with water jet use and
it is not considered further in our analysis.
Hilcorp also plans to tug the jack-up rig to existing platforms in
middle Cook Inlet and Trading Bay in support of production drilling
activities from existing platforms and wellbores. Production drilling
itself creates some small level of noise due to the use of generators
and other potentially noise-generating equipment. Furie Operating
Alaska, LLC, performed detailed underwater acoustic measurements in the
vicinity of the Spartan 151 in 2011
[[Page 62368]]
(Marine Acoustics Inc., 2011) northeast of Nikiski Bay in water depths
of 24.4 to 27.4 m (80 to 90 ft). Primary sources of rig-based acoustic
energy were identified as coming from the D399/D398 diesel engines, the
PZ-10 mud pump, ventilation fans, and electrical generators. The source
level of one of the loudest acoustic sources, the diesel engines, was
estimated to be 137 dB re 1 [mu]Pa rms at 1 m in the 141 to 178 Hz
frequency range. Based on this measured level, the 120 dB rms acoustic
received level isopleth would be approximately 50 m away from where the
energy enters the water (jack-up leg or drill riser). Sound source
levels were also measured by JASCO (a company) for drilling and mud
pumping from the Yost jack-up rig in 2016. The primary sources of
continuous sounds measured from the Yost were drilling (158 dB) and
mu167d pumping (148.4 dB), producing 120 dB isopleths of 330 and 225
meters, respectively. The acoustic energy of drilling noise was found
to be predominantly under 500 Hz (Denes and Austin, 2016a). Denes and
Austin (2016) did not record other rig-based activities including
cementing, running casing, and tripping in and out of the hole with
drill string; however, these activities may also produce sounds similar
to mud pumping. There is open water in all directions from the drilling
location. Additionally, Hilcorp plans to monitor the area around the
drilling platform for 30 minutes prior to starting drilling activities
and delay their activity if marine mammals are seen close to the
platform. Any marine mammal approaching the rig would be fully aware of
its presence long before approaching or entering the zone of influence
for behavioral harassment, and we are unaware of any specifically
important habitat features (e.g., concentrations of prey or refuge from
predators) within the rig's zone of influence that would encourage
marine mammal use and exposure to higher levels of noise closer to the
source. Given the absence of any activity-, location-, or species-
specific circumstances or other contextual factors that would increase
concern, we do not expect routine drilling noise to result in the take
of marine mammals.
In support of these activities, helicopters and support vessels
transit from the mainland to the production sites to mobilize personnel
and supplies. Helicopters will fly at 1,500 ft (457 m) or higher unless
human safety is at risk or it is operationally impossible (e.g.,
takeoff and landing points are so close together the aircraft cannot
reach 1,500 ft or 30 m). During take-off and landing of a helicopter,
it is expected that only a small amount of sound would penetrate the
water because the helicopter will be moving vertically over the helipad
and most of the sound is reflected and does not penetrate at angles
greater than 13 degrees from vertical. Additionally, the platforms that
helicopters are navigating to/from are already 100 or more feet above
sea level, further reducing potential for harassment of marine mammals
such that take is not requested nor authorized. Vessel trips to and
from the location of the jack-up rig are expected to increase by two
trips per day above normal activity levels. Hilcorp plans to maintain
watch for marine mammals during supply vessel trips, stay at least 100
yards (91 m) away from marine mammals, reduce speed in poor visibility,
and handle supply vessels such that an encounter with a marine mammal
is unlikely and additional take for supply vessel activities is not
requested nor authorized.
Year 2--For the second year of activity, Hilcorp does not plan to
conduct P&A activities with the jack-up rig and will only be tugging
the jack-up rig in support of production drilling activities.
The specific configuration of tugs towing the jack-up-rig as used
by Hilcorp has not been analyzed previously. Hilcorp contracted JASCO
Applied Sciences to conduct a sound source verification (SSV) of their
tugs in operation in Cook Inlet during October 2021. This SSV measured
tugs pulling the jack-up-rig at various power outputs (Lawrence et al.,
2022). This SSV returned a source level of 167.3 dB re 1 [mu]Pa for the
20 percent power scenario and a source level of 205.9 dB re 1 [mu]Pa
for the 85 percent power scenario. Assuming a linear scaling of tug
power, a source level of 185 dB re 1 [mu]Pa was then calculated as a
single point source level for three tugs operating at 50 percent power
output. This is approximately five dB higher than the literature
summary described below.
Hilcorp conducted a literature review of available source level
data for tugs under load in varying power output scenarios. Table 3
below provides values of measured source levels for tugs varying from
2,000 to 8,200 horsepower. For the purposes of this table, berthing
activities could include tugs either pushing or pulling a load. The
sound source levels appear correlated to speed and power output, with
full power output and higher speeds generating more propeller
cavitation and greater sound source levels than lower power output and
lower speeds. Additional tug source levels are available from the
literature, but they are not specific to tugs under load (rather they
measured values for tugs during activities such as transiting, docking,
and anchor pulling). For a summary of these additional tug values, see
Table 7 in Hilcorp's application.
Table 3--Literature Values of Measured Tug Source Levels
--------------------------------------------------------------------------------------------------------------------------------------------------------
Source level
Vessel Vessel length Speed (knots) Activity @1 m (re: 1 Horsepower Reference
(m) [micro]Pa)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Eagle................................ 32 9.6 Towing barge............ 173 6,770 Bassett et al., 2012.
Valor................................ 30 8.4 Towing barge............ 168 2,400
Lela Joy............................. 24 4.9 Towing barge............ 172 2,000
Pacific Eagle........................ 28 8.2 Towing barge............ 165 2,000
Shannon.............................. 30 9.3 Towing barge............ 171 2,000
James T Quigg........................ 30 7.9 Towing barge............ 167 2,000
Island Scout......................... 30 5.8 Towing barge............ 174 4,800
Chief................................ 34 11.4 Towing barge............ 174 8,200
Lauren Foss.......................... 45 N/A Berthing barge.......... 167 8,200 Austin et al., 2013.
Seaspan Resolution................... 30 N/A Berthing at half power.. 180 6,000 Roberts Bank Terminal 2
Technical Report,
2014.
Seaspan Resolution................... 30 N/A Berthing at full power.. 200 6,000
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 62369]]
The Roberts Bank Terminal 2 Technical Report (2014), although not
in Cook Inlet, includes repeated measurements of the same tug operating
under different speeds and loads. This allows for a comparison of
source levels from the same vessel at half power versus full power,
which is an important distinction for Hilcorp's activities, as a small
fraction of the total time spent by tugs under load will be at greater
than 50 percent power. The Seaspan Resolution's half-power berthing
scenario has a sound source level of 180 dB re 1 [mu]Pa at 1 m. In
addition, the Roberts Bank Report (2014) analyzed 650 tug transits
under varying load and speed conditions and reported mean tug source
levels of 179.3 dB re 1 [mu]Pa at 1 m, the 25th percentile was 179.0 dB
re 1 [mu]Pa at 1 m, and 5th percentile source levels were 184.9 dB re 1
[mu]Pa at 1 m.
Based solely on the literature review, a source level of 180 dB for
a tug under load would be appropriate. However, Hilcorp's use of a
three tug configuration would increase the literature source level to
approximately 185dB. As one or two tugs are primarily under load, the
third tug sits off to the side. NMFS still considers these tugs to be
simultaneous sources. When considered in conjunction with the
additional tugs present in the configuration as well as the SSV
conducted by JASCO for Hilcorp's specific configuration, a source level
of 185 dB for tugs towing a jack-up rig was carried forward for
analysis.
Mitigation, monitoring, and reporting measures are described in
detail later in this document (please see Mitigation and Monitoring and
Reporting).
Comments and Responses
A notice of NMFS's proposal to issue IHAs to Hilcorp was published
in the Federal Register on May 9, 2022 (87 FR 27597). That notice
described, in detail, Hilcorp's activity, the marine mammal species
that may be affected by the activity, and the anticipated effects on
marine mammals. During the 30-day public comment period, NMFS received
comments from Hilcorp, the Bureau of Ocean Energy Management (BOEM),
and the Center for Biological Diversity (CBD) in conjunction with Cook
Inletkeeper and Kachemak Bay Conservation Society (this group comment
letter is referenced as CBD throughout this notice). These letters are
available online at: https://www.fisheries.noaa.gov/action/incidental-take-authorization-hilcorp-alaska-llc-oil-and-gas-activities-cook-inlet-alaska-0. A summary of the commenters' recommendations as well as
NMFS' responses is below.
Comment 1: NMFS received comments about how the proposed IHAs would
relate to the Incidental Take Regulations (ITRs) NMFS issued to Hilcorp
in 2019 (84 FR 37442, July 30, 2019). CBD commented that NMFS cannot
``segment'' its MMPA analysis for the activities proposed under the
IHAs from its authorization of Hilcorp's oil and gas activities under
the 5-year ITRs. Additionally, Hilcorp requested that NMFS withdraw the
ITRs.
Response: The activities for which take was analyzed in the ITRs
have already occurred or, per Hilcorp, will not occur during the
remaining period of the ITR, which currently expires on July 30, 2024.
Because none of the activity for which take was authorized under the
ITRs is planned to occur under the ITRs, NMFS and Hilcorp determined
there would be no benefit to undertaking the process of re-evaluating
the ITRs. Instead it was determined that IHAs under section
101(a)(5)(D) would be an efficient vehicle for addressing incidental
take from tug activities in a timely fashion, should authorization be
needed, particularly compared to the process for rulemaking under
section 101(a)(5)(A).
Hilcorp accordingly applied for two IHAs and NMFS evaluated the
potential for take of marine mammals incidental to the tug activity
Hilcorp included in its application. Given the type of activity Hilcorp
plans to conduct, the fact that any potential take would be in the form
of Level B harassment, only, and the timeframe of those activities,
IHAs are appropriate. This is the course of action NMFS would advise
for any applicant planning to conduct 2 years of approximately 14 days
and 16 days of take-related activity per year, respectively, with the
potential to result in take by harassment only.
As indicated above, and at Hilcorp's request, NMFS is undertaking
the process to withdraw the ITRs to reduce any confusion. NMFS will not
issue any more LOAs pursuant to the ITRs to authorize take incidental
to Hilcorp's tug towing activities. Thus there is no possibility for
NMFS to authorize incidental take of beluga whales simultaneously
through an IHA and the ITRs.
Comment 2: BOEM commented that NMFS' Federal Register (FR) notice
did not discuss potential effects of helicopters and support vessels
described in Hilcorp's application for IHAs and that NMFS may benefit
from analysis of effects to marine mammals from these activities.
Response: NMFS briefly discussed these activities in the Detailed
Description of Specific Activity in the notice of proposed IHAs,
following the discussion of water jets. That paragraph includes a
discussion of why these activities were not considered further.
Comment 3: BOEM commented that NMFS could add clarity as to why 185
dB was used as an estimated source level for the multi-tug
configuration by referring readers to the JASCO monitoring report for
the sound source verification of Hilcorp's sources.
Response: NMFS omitted this source inadvertently. We have now
included Lawrence et al. (2022) in our references for further
information regarding the sound source verification used to derive a
source level of 185 dB for the three-tug combination.
Comment 4: BOEM commented that NMFS may want to consider effects to
Pacific white-sided dolphins based on an acoustics report (Castellote
et al., 2020).
Response: Based on this report and other information described
below, NMFS has added take of Pacific white-sided dolphins to our
analysis and authorizations. See Description of Marine Mammals in the
Area of Specified Activities section for more discussion of the species
and why they are included in our analysis.
Comment 5: BOEM noted page 27621 of the notice of proposed IHAs
listed requirements for monitoring of pile driving activities.
Response: These requirements were included in error and have been
removed from the final notice.
Comment 6: Hilcorp commented that the notice of proposed IHAs and
draft EA incorrectly refers to Hilcorp's planned tugging activities as
the ``proposed activity'' when the proposed activity from NMFS'
perspective is the proposed issuance of IHAs to take marine mammals
incidental to Hilcorp's planned activities.
Response: Hilcorp is correct and NMFS has clarified Hilcorp's
planned activities from NMFS' activities in all documents.
Comment 7: Hilcorp contests NMFS' characterization of the project
area as a ``non-industrial setting'' prior to the onset of Hilcorp's
tugging activities. The oil and gas facilities in Cook Inlet, including
Hilcorp's platforms, have been active, with daily activities, for the
past 60 years.
Response: NMFS agrees that this area is not pristine, as Hilcorp's
platforms and development structures are already in existence. However,
Hilcorp's activities will introduce additional anthropogenic activity
into the area,
[[Page 62370]]
such as increased vessels around the platforms, helicopter trips for
personnel, supplies, etc. NMFS has clarified the characterization of
the action area accordingly.
Comment 8: Hilcorp recommended that NMFS more clearly describe why
any incidental marine mammal harassment related to tug-towing
activities is likely to be very low due to the characteristics of those
activities in the notice of issuance of IHAs and final EA.
Response: NMFS agrees with Hilcorp's characterization that a multi-
tug configuration under load moves in a slow, predictable pattern that
is unlikely to surprise marine mammals in the area and, further,
animals near industrial activities may become habituated to regular
activities in the area, as has been shown for Cook Inlet belugas around
the Port of Anchorage, for example (61 North Environmental, 2020).
However, given the sources levels, there is still the potential that
some belugas may behaviorally respond in a manner that would qualify as
a take. NMFS characterizes the type of harassment (behavioral
disturbance only) that may occur from tugs in this Federal Register
notice and has authorized Level B harassment out of caution due to
several combined factors, as described in the Potential Effects of
Specified Activities on Marine Mammals and their Habitat section.
Comment 9: Hilcorp recommends that NMFS clearly express its finding
that the incidental harassment levels for each IHA constitutes a
``small number'' for each marine mammal stock regardless of NMFS's
``one-third'' standard.
Response: NMFS has made a small numbers finding for each IHA
individually. The quantitative rationale for determining these numbers
are ``small'' is put forth in Table 15 below.
Comment 10: Hilcorp requests that NMFS clarify that the renewal
process is not necessary for the Year 2 IHA to become effective.
Hilcorp specifically applied for, and NMFS proposed to issue, two
separate, stand-alone IHAs. The Year 2 IHA would not be a ``renewed''
version of the Year 1 IHA. Hilcorp anticipates no need for renewal of
the Year 1 IHA and requests removal of the renewal provision from the
IHAs.
Response: Hilcorp is correct that the Year 2 IHA is not dependent
upon a renewal of Year 1 and is a completely separate authorization
from the Year 1 IHA. NMFS issued the Year 1 IHA to Hilcorp effective
through September 13, 2023. NMFS has also issued a Year 2 IHA to
Hilcorp with effective dates from September 14, 2023 to August 13,
2024. Further, at Hilcorp's request, NMFS will not consider a renewal
of the Year 1 IHA and has removed the renewal provision from these
IHAs.
Comment 11: Hilcorp recommends that NMFS clarify whether or not the
EA relies upon the NEPA regulatory amendments recently adopted by the
Council for Environmental Quality (CEQ) that became effective on May
20, 2022 (87 FR 2,453, April 20, 2022).
Response: Per NMFS' internal guidance dated June 17, 2022, NEPA
reviews for actions initiated after September 14, 2020, but prior to
May 20, 2022, will be conducted according to the 2020 CEQ regulations.
In accordance with this guidance, NMFS' Environmental Assessment for
this action references the 2020 CEQ regulations.
Comment 12: Hilcorp suggested several corrections or changes for
clarity or to improve accuracy throughout the FR notice. Hilcorp
commented that NFMS incorrectly characterized the straight line towing
distance in the Marine Mammal Hearing section of the proposed IHA
notice as 37 km when the distance used in the analysis was 64 km (40
mi). Hilcorp also comments that use of the phrase ``approximately 7
km'' was confusing as that was an estimation of the diameter of the
ensonified area and that 3.8 km radius is a more precise
characterization of the analysis of the ensonified area.
Response: These errors and clarifications have been fixed for this
notice of the final IHAs.
Comment 13: The Center for Biological Diversity (CBD) recommended
that NMFS stop allowing take of Cook Inlet beluga whales unless and
until the agency conducts a comprehensive evaluation of the numerous
threats. They note that NMFS developed 5-year action plans for each of
the ``Species in the Spotlight'' that outline short-term efforts vital
for stabilizing their populations and preventing their extinction. The
first of the ``Key Actions Needed 2016-2020'' in NMFS's Species on the
Spotlight Cook Inlet Beluga Whale 5-Year Action Plan is ``Reduce the
Threat of Anthropogenic Noise in Cook Inlet Beluga Whale Habitat.''
They further note that the NMFS' Recovery Plan for Cook Inlet beluga
whales (2016) (Recovery Plan) lists tugboats as the highest noise
threat to critically endangered species.
Response: NMFS shares CBD's concern regarding the impacts of human
activities on Cook Inlet beluga whales and is committed to supporting
the conservation and recovery of the species. Under section
101(a)(5)(D) of the MMPA, NMFS considers the at risk status of Cook
Inlet beluga whales (and other species) in both the negligible impact
analysis and through our consideration of impact minimization measures
that will support the least practicable adverse impact on those
species. For example, the Hilcorp final rule included shutdown zones
for Cook Inlet beluga whales that extended well beyond standard
shutdown zones all the way to the Level B harassment isopleth. However
section 101(a)(5)(D) also mandates that NMFS ``shall issue'' an IHA if
we are able to make the necessary findings for any specified activity
for which incidental take is requested.
In accordance with our implementing regulations at 50 CFR
216.104(c), we use the best available scientific evidence to determine
whether the taking by the specified activity within the specified
geographic region will have a negligible impact on the species or stock
and will not have an unmitigable adverse impact on the availability of
such species or stock for subsistence uses. Based on the scientific
evidence available, NMFS determined that the take incidental to
Hilcorp's tugging of the jack-up rig, which is primarily acoustic in
nature, transient, and of a low level, would have no more than a
negligible impact and no unmitigable adverse impact on availability of
marine mammals for subsistence uses. Moreover, Hilcorp proposed and
NMFS has required in the IHAs a rigorous mitigation plan to further
reduce potential impacts to Cook Inlet beluga whales and other marine
mammals to the lowest level practicable. Protected species observers
are required to conduct monitoring during all jack-up rig towing
activity. Since publication of the proposed IHAs, aerial surveys have
been incorporated to monitor for beluga presence when towing to or from
the Tyonek platform as the more northern location is approaching an
area of known Cook Inlet beluga whale use.
Our analysis indicates that issuance of these IHAs will not
contribute to or worsen the observed decline of the Cook Inlet beluga
whale population. Additionally, the ESA Biological Opinion determined
that the issuance of these IHAs is not likely to jeopardize the
continued existence of the Cook Inlet beluga whales or the western
distinct population segment of Steller sea lions or to destroy or
adversely modify Cook Inlet beluga whale critical habitat. The
Biological Opinion also outlined Terms and Conditions and Reasonable
and Prudent Measures to reduce impacts, which have been incorporated
into the IHAs, including the aerial surveys discussed in the Mitigation
section
[[Page 62371]]
below. Therefore, based on the analysis of potential effects, the
parameters of the activity, and the rigorous mitigation and monitoring
program, NMFS determined that the taking from the specified activity
for Year 1 and for Year 2 would have a negligible impact on the Cook
Inlet beluga whale stock.
Moreover, Hilcorp's jack-up rig towing activity would take only
small numbers of marine mammals relative to their population sizes.
Further, these takes represent one annual disturbance event for each of
these individuals, or perhaps a few individuals could be disturbed a
few times, in which case the number of impacted individual whales is
even lower. As described in the Federal Register notice of proposed
IHAs, NMFS used a method that incorporates density of marine mammals
overlaid with the anticipated ensonified area to calculate an estimated
number of takes for belugas, which was estimated to be less than 8
percent of the stock abundance, which NMFS considers small.
Regarding CBD's comment about tugboat noise, NMFS' Recovery Plan
ranks noise from tugboats as the most important source that could
potentially interfere with Cook Inlet beluga whale recovery based on
signal characteristics and spatio-temporal acoustic footprint. However,
notably, the Recovery Plan is referencing tugboat noise as a whole
across all vessels and the entirety of Cook Inlet, not Hilcorp's
specified activity in the specified location and geographic region,
which is likely a small portion of overall tugboat use in Cook Inlet
throughout the year. NMFS' biological opinion on NMFS' IHAs for
Hilcorp's activity addressed the impacts of the marine mammal take NMFS
is authorizing in the context of both the environmental baseline and
the cumulative effects (including tugboats) and found that it likely
would not jeopardize Cook Inlet beluga whales or destroy or adversely
modify their Critical Habitat. In the MMPA analysis, NMFS addresses the
signal characteristics and spatio-temporal overlap of Hilcorp's
specific tug activity in the Federal Register notice and has authorized
take accordingly.
In addition to implementing mitigation and measures to minimize the
impact of Hilcorp's activity, more broadly NMFS is taking several
proactive steps to address the decline of the species. NMFS provides
online platforms that allow public access to search for and review NOAA
Fisheries permits and authorizations, as well as consultations under
section 7 of the ESA. Additionally, NMFS is supporting the development
of a population consequences of disturbance model to further refine
information about the effects of stressors on Cook Inlet beluga whale
behavior, energetic costs, and vital rates. NMFS continues to conduct
outreach and education to various stakeholders to minimize the
potential for unauthorized take of Cook Inlet beluga whales. Lastly,
NMFS is developing site-specific stranding response and disaster
response guidelines for Cook Inlet, which could inform responses and
further reduce impacts to Cook Inlet beluga whales.
Comment 14: CBD commented that the Recovery Plan recommends a
review of the current system of allocation of takes by harassment of
beluga whales to better reduce cumulative effects of harassment takes
by numerous projects. CBD provides examples for the number of takes
authorized by NMFS for various time periods, citing Migura and Bollini
(2021).
Response: We note first that the Migura and Bollini (2021) paper
cited by CBD seems to have led to a misunderstanding of the takes
authorized or permitted by NMFS. In summary, CBD asserts that NMFS
authorized nearly 120,000 takes of Cook Inlet belugas from 2017 to 2025
and that in 2020 alone, NMFS authorized the equivalent of 50 percent of
the entire Cook Inlet beluga whale population to be ``incidentally''
harassed by industrial projects in the Inlet, such as oil and gas
development and pile driving activities.
The vast majority of the asserted ~120,000 total takes (99
percent), including all of the very small amount of take by Level A
harassment, were authorized under directed research or enhancement
permits, which support research or actions identified in the Recovery
Plan to address Cook Inlet beluga whale recovery goals. Further, the
vast majority (~99 percent) of the total permitted research or
enhancement take numbers cited by CBD are low-level MMPA Level B
harassment from remote or non-invasive procedures that are considered
not likely to adversely affect listed species pursuant to the ESA
(i.e., no associated take under the ESA is either expected to occur or
exempted for those specific activities). We further note that based on
the required post-research reporting from this 9-year period, an
average of 25 percent of the permitted takes actually occurred. For the
Directed Take Program, scientific research and enhancement permits
authorize intentional close approaches that target marine mammals and
that may result in harassment. These permitted takes generally are a
larger number than the actual takes that occur because researchers need
the ability to work in the field without running out of takes mid-
season when optimal conditions and opportunities arise to meet their
stated research objectives. Factors such as weather, funding, the
pandemic, etc., affect whether takes can be used.
Regarding the comprehensive evaluation and minimization of
permitted takes, we reference the analysis that has already been
completed through NMFS' 2019 Biological and Conference Opinion on the
Proposed Implementation of a Program for the Issuance of Permits for
Research and Enhancement Activities on Cetaceans in the Arctic,
Atlantic, Indian, Pacific, and Southern Oceans (NMFS, 2019), which
determined that the research and enhancement takes permitted by the
program would not jeopardize the existence of any of the affected
species. As part of our programmatic framework for permitting directed
take of ESA species, the Permits and Conservation Division will
continue to closely evaluate the number and manner of Cook Inlet beluga
whale takes requested by each applicant, how the proposed research ties
to recovery plan goals, and the collective number of authorized and
requested takes to consider the potential cumulative impact of the
activities to the population. Each directed take annual report is
reviewed to understand how authorized takes were actually used and to
closely monitor the impacts that permitted research methods are having
on the target animals.
NMFS also has an active role on the Research subcommittee of the
Cook Inlet Beluga Whale Recovery Implementation Task Force. Starting in
2021 the subcommittee increased efforts to monitor and coordinate
research undertaken on Cook Inlet beluga whales each year. This effort
includes pre- and post-season meetings with all parties conducting
these studies to (1) coordinate field efforts and minimize harassment
of whales, (2) learn of the latest findings by these groups and others.
The subcommittee also plans to review new findings about threats listed
in the Recovery Plan (NMFS, 2016) and identify data gaps as potential
avenues for future research.
Regarding the incidental takes authorized for 2020, those takes
represent instances of exposure above the Level B harassment threshold
that could occur within a day. In other words, if those approximately
130 takes were assumed to be 130 separate individual whales, it would
mean that those individual whales were each behaviorally disturbed on
one day in that year. The more likely scenario is
[[Page 62372]]
that some of those 130 exposures were takes of the same whale on a few
different days, and in fact a lesser number of individuals were taken,
but still on only a few days within a year. In all cases, the necessary
findings under MMPA and ESA were made prior to the authorization of the
take. Further, ITAs issued for activities that may take Cook Inlet
beluga whales typically include enhanced protective measures for beluga
whales that include delaying the activity or shutting down if a beluga
is sighted within the Level B harassment zone and avoiding activities
in important feeding areas, such as the Susitna Delta. These measures
ensure that in the unlikely event that a beluga whale is harassed by
activities covered by an ITA, the impacts are expected to be of a
comparatively low level of severity.
Comment 15: CBD commented that NMFS' actions contradict the
recommendations of the Marine Mammal Commission, which has repeatedly
urged NMFS to stop issuing authorizations until the agency better
understands the decline in abundance.
Response: CBD cites letters NMFS received from the Marine Mammal
Commission (MMC) for previous proposed incidental take authorizations
before 2021 recommending NMFS refrain from authorizing take of Cook
Inlet beluga whales until more is understood about the decline in
abundance. NMFS responded to those comment letters (e.g., 84 FR 37451,
July 31, 2019) and we incorporate that response by reference. NMFS did
not receive a comment letter from the MMC regarding the proposed IHAs
for Hilcorp, but we refer the reader to the responses to comments 13
and 14 above.
Comment 16: CBD commented that the MMPA states that IHAs are valid
for periods of not more than 1 year, but that NMFS is proposing a
series of IHAs for the next 3 years without conducting a comprehensive
analysis of take across all 3 years.
Response: Incidental harassment authorizations issued under section
101(a)(5)(D) for a specified activity are limited to periods of 1 year
or less. Each IHA must satisfy the negligible impact standard for the
authorized taking and include the means of effecting the least
practicable adverse impact on the species or stock and its habitat and,
where relevant, on the availability of such species or stock for taking
for subsistence uses (i.e., mitigation). NMFS considered Hilcorp's
request for two IHAs for two distinct specified activities (identified
as Year 1 and Year 2 activities) and, therefore, performed two distinct
negligible impact analyses (because NMFS removed the possibility of a
renewal of the IHAs at Hilcorp's request, there will not be a
possibility for a third year). NMFS has a documented history of issuing
consecutive IHAs to the same applicant, including sequential IHAs
authorizing take of Cook Inlet beluga whales (85 FR 19294, April 6,
2020; 85 FR 1140, January 9, 2020; 85 FR 68291, October 28, 2020).
Although it is not clear what is meant by a ``comprehensive'' analysis,
under NMFS' implementing regulations for the MMPA, our negligible
impact analyses take into account the ``baseline''; moreover, under
NEPA, NMFS' EA considers all anthropogenic activities that NMFS is
aware of, including those for which take is not authorized in the
cumulative effects section and incorporates where appropriate into the
environmental baseline under the ESA, NMFS' biological opinion
considered the same types of activities in their environmental baseline
and cumulative effects discussions.
Regarding the potential for a third year of activities through the
issuance of a renewal at a later date, please see the response to
comment 17.
Comment 17: CBD commented that issuance of renewals of IHAs via an
expedited process is unlawful as it circumvents public comment timing
laid out in the MMPA.
Response: NMFS' IHA renewal process meets all statutory
requirements. All IHAs issued, whether an initial IHA or a renewal, are
valid for a period of not more than 1 year; the public has 30 days to
comment on proposed IHAs, with a cumulative total of 45 days for IHA
renewals. The Request for Public Comments section in the notice of
proposed IHA made clear that the agency was seeking comment on both the
initial proposed IHA for this project and the potential issuance of a
renewal. Because any renewal (as explained in the Request for Public
Comments section) is limited to another year of identical or nearly
identical activities (as described in the Description of Proposed
Activity) or the same activities that were not completed within the 1-
year period of the initial IHA, reviewers have the information needed
to effectively comment on both the immediate proposed IHA and a
possible 1-year renewal, should the IHA holder choose to request one in
the coming months.
In prior responses to comments about IHA Renewals (e.g., 84 FR
52464, October 02, 2019; 85 FR 53342, August 28, 2020), NMFS has
explained how the Renewal process, as implemented, is consistent with
the statutory requirements contained in section 101(a)(5)(D) of the
MMPA, provides additional efficiencies beyond the use of abbreviated
notices, and, further, promotes NMFS' goals of improving conservation
of marine mammals and increasing efficiency in the MMPA compliance
process. Therefore, we intend to continue implementing the Renewal
process.
In this case, as already stated, at Hilcorp's request NMFS removed
the renewal provision from these IHAs.
Comment 18: CBD commented that NMFS' interpretation of ``small'' as
it pertains to the small numbers analysis is unreasonable, and that a
number may be considered small only if it is ``little or close to
zero'' or ``limited in degree.''
Response: In NMFS' Final Rule for taking of marine mammals
incidental to geophysical surveys in the Gulf of Mexico (86 FR 5322,
January 19, 2021), NMFS fully describes its interpretation and
implementation of ``small numbers''. Included as part of that
discussion, NMFS explains the concept of ``small numbers'' in
recognition that there could also be quantities of individuals taken
that would correspond with ``medium'' and ``large'' numbers. As such,
NMFS has established that one-third of the most appropriate population
abundance number--as compared with the assumed number of individuals
taken--is an appropriate limit with regard to ``small numbers.'' This
relative approach is consistent with the statement from the legislative
history that ``[small numbers] is not capable of being expressed in
absolute numerical limits'' (H.R. Rep. No. 97-228, at 19 (September 16,
1981)), and relevant case law (Center for Biological Diversity v.
Salazar, 695 F.3d 893, 907 (9th Cir. 2012) (holding that the U.S. Fish
and Wildlife Service reasonably interpreted ``small numbers'' by
analyzing take in relative or proportional terms)).
We note that the comment selectively includes a definition in
support of CBD's favored position. For example, the definition of
``small'' in Webster's New Collegiate Dictionary (1981) included
``having little size, esp. as compared with other similar things.'' See
also www.merriam-webster.com/dictionary/ small (defining ``small'' as
``having comparatively little size''). These definitions comport with
the small numbers interpretation developed by NMFS, which utilizes a
proportionality approach.
Comment 19: CBD claims that NMFS's proposed IHAs failed to account
for all sources of take.
Response: NMFS acknowledges that Hilcorp's overall activity in Cook
Inlet
[[Page 62373]]
includes more than the activities for which take is authorized under
these IHAs. Firstly, ITAs under the MMPA are a request-based
authorization by which NMFS analyzes the potential for incidental
harassment at the request of the applicant for the activities
described. NMFS also considers other related activities by the
applicant to assess whether they, alone or in combination with the
specified activity for which take was requested, may result in take,
and will advise if they should be included in the take application. In
the specific example used by CBD that vessel trips may increase by two
trips per day from normal platform operations, there is no indication
that take is likely to occur nor has Hilcorp requested take due to
supply vessel trips. While vessel noise can contribute to masking and
is a contributor to elevated noise in the area, the manner in which
Hilcorp plans to operate their support vessel (with inherent mitigation
to avoid the presence of marine mammals) supports the assessment that
an encounter with a marine mammal, let alone a disruption of their
behavioral pattern, is unlikely to occur.
Comment 20: CBD commented that NMFS failed to consider noise from
water jets, production drilling, helicopters, and vessel traffic.
Response: NMFS considered these additional sources and did not find
authorization of take was warranted for these activities. Additional
detail about these sources and NMFS' rationale is provided in the
Detailed Description of Specific Activity section of this notice.
NMFS also disagrees with CBD's characterization that the MMPA
definition of harassment ``includes not only those activities that will
or are likely to cause take but those that `ha[ve] the potential to
injure . . . or . . . disturb a marine mammal.' '' This is an
incomplete recitation of the statutory definition of harassment. Level
B harassment refers to an 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 behavioral patterns, including, but
not limited to, migration, breathing, nursing, breeding, feeding, or
sheltering.'' This requires that an act have ``the potential to disturb
by causing disruption of behavioral patterns,'' not simply result in a
detectable change in motion or vocalization. See 84 FR 63268, 63285
(December 7, 2018).
Comment 21: CBD commented that NMFS is artificially lowering take
estimates ``by calculating the number of harassments per activity by
days of exposure rather than the instances of harassment.''
Response: In order to provide a practical, consistent, biology-
based (i.e., the Diel Cycle) currency for impact assessment across the
wide range of take calculation methods applicants may use--for years
NMFS has recommended that for the purposes of counting instances of
take--we do not consider one individual as taken more than one time in
a day, even if that an individual could be exposed to sound or other
stressors multiple separate times in one day. For the purposes of the
negligible impact analysis of the effects of the enumerated takes on
any individuals and the stock, though, it is important to understand
the likely nature of these enumerated instances of take (e.g.,
momentary exposure versus multiple hours, high level versus low level),
and that is how the potential for multiple exposures in a day (if
expected) or longer duration exposures are appropriately considered in
the analysis.
For Hilcorp, NMFS used the best available science to arrive at the
most realistic characterization of potential harassment possible. In
this instance, NMFS calculated the area likely to be ensonified above
120 dB and applied the best available density values for species in
Cook Inlet to arrive at a number of individuals exposed in a single
day. This is then multiplied by the number of days to result in the
number of exposures across the entire duration of the activity (e.g.,
14 or 16 days, respectively). If anything, this calculation may be an
overestimate as animals are not uniformly distributed across the action
area, and the same individual animals may be exposed to sound levels
greater than 120 dB several times over the duration of the activity but
due to the constraints of our calculations, they are being considered
as separate animals in our estimations.
Comment 22: CBD commented that NMFS' small numbers determination
for Cook Inlet beluga whales fails to consider the status of the
species. CBD claims that ``small'' must be considered against the
status of the species and whether the percentage of take for each
affected species will ensure that population levels are maintained at
or restored to heathy numbers.
Response: NMFS disagrees with CBD's assertion. The argument to
establish a small numbers threshold on the basis of stock-specific
context is unnecessarily duplicative of the required negligible impact
finding, in which relevant biological and contextual factors are
considered in conjunction with the amount of take and would risk
conflating the two standards. Similarly, CBD's assertion that NMFS'
small numbers analysis must consider whether the percentage of take
would restore a population to ``healthy number'' is not required by
section 101(a)(5)(D) of the MMPA.
Comment 23: CBD commented that NMFS has no basis on which to
conclude that additional harassment by noise has a negligible impact on
Cook Inlet beluga whales as a species, given the population's lack of
recovery and continued decline.
Response: In the Negligible Impact Analysis and Determination
section, we describe how the take predicted and authorized for
Hilcorp's tugboat activity (not additional harassment by noise at
large), which is 11 in Year 1 and 22 in Year 2 for beluga whales, will
have a negligible impact on all of the affected species. In summary,
this determination is based upon the small numbers of beluga whales
that might be exposed briefly during the 16 days of the activity, the
comparatively low degree of behavioral harassment that might result
from any one of the 11 or 22 instances of take that occur within a
year, and the likelihood that the mitigation measures further lessen
the likelihood of exposures. NMFS has considered the status and decline
of Cook Inlet beluga whales in its analysis, as well as the importance
of reducing impacts from anthropogenic noise, but nonetheless, there is
no indication that brief exposure to low level noise not causing
greater than Level B harassment would have a greater than negligible
impact on Cook Inlet beluga whales.
Comment 24: CBD claims that NMFS incorrectly stated that Cook Inlet
beluga whales are not known to engage in critical behaviors in the area
where Hilcorp's project is planned.
Response: NMFS acknowledges observation of one potential but
unconfirmed incidence of mating behavior in the Trading Bay area, but
the extent to which critical behaviors occur in Hilcorp's project area
is still unknown. (Lomac-Macnair et al., 2016). Such behaviors have not
been reported since. Surveys by NMFS or McGuire et al. (2020) with
concentrated effort on the western coast of Cook Inlet have not yielded
a comparable sighting. Other key behaviors, such as calving and
feeding, are described in more detail below but are thought to occur
primarily in other concentrated areas outside of Hilcorp's action area.
We are unaware of any information regarding areas where Cook Inlet
belugas are more likely to engage in mating behavior, however, what is
known about calving suggests that it is
[[Page 62374]]
most concentrated in the upper Inlet, north of Hilcorp's project area.
McGuire et al. (2020) characterizes habitat use by age class in
northern Cook Inlet and documented the majority of calves in the
northernmost parts of Cook Inlet (e.g., Susitna Delta) despite
concentrated survey effort in areas along the west part of the Inlet
heading south toward the Forelands. NMFS acknowledges that Cook Inlet
beluga whales use the area, especially in spring and fall months, but
their habitat range at those times is not nearly as constricted as
their summer habitat, which is concentrated in a small area with high
anthropogenic activity.
Cook Inlet beluga whales may well occur in the project area, which
is why a small amount of take by Level B harassment is authorized for
this species incidental to Hilcorp's jack-up rig towing. Tagging data,
acoustic studies, and opportunistic sightings indicate that Cook Inlet
belugas continue to occur in the upper inlet throughout the winter
months, in particular the coastal areas from Trading Bay to Little
Susitna River, with foraging behavior detected in lower Knik Arm and
Chickaloon Bay, and also detected in several areas of the lower inlet
such as the Kenai River, Tuxedni Bay, Big River, and NW Kalgin Island
(Castellote et al., 2011, 2020, 2021; C. Garner, pers. comm.; Shelden
et al., 2015, 2018). Belugas were historically seen in and around the
Kenai and Kasilof rivers during June aerial surveys conducted by ADFG
in the late 1970s and early 1980s and by NMFS starting in 1993 (Shelden
et al., 2015b), and throughout the summer by other researchers and
local observers. In recent years, sightings in and near these rivers
have been more typical in the spring and fall (Ovitz, 2019). It is
unknown if this is due to increased monitoring efforts in the area or
an increase in belugas using this area. While visual sightings indicate
peaks in spring and fall, acoustic detections indicate that belugas can
be present in the Kenai River throughout the winter (Castellote et al.,
2016). Despite the historic sightings (1970s-1990s) of belugas
throughout the summer (June-August) in the area, recent acoustic
detections and visual sightings indicate that there appears to be a
steep decline in beluga presence in the Kenai River during the summer,
despite an annual return in recent years of 1-1.8 million sockeye
salmon, which are important beluga prey.
As described above, we have no reason to expect beluga whales to be
concentrated in the path of Hilcorp's tug boats for the purposes of
reproductive or feeding behaviors, but even if one or more of the 11
(Year 1) or 22 (Year 2) instances in which the brief tugboat operations
intersects with an individual beluga is engaged in these behaviors, the
anticipated short duration and low level disturbance of any such
encounter would not be likely to impact reproductive or foraging
success of any individuals.
Comment 25: CBD comments that NMFS' negligible impact determination
relies largely on mitigation measures required under the IHAs that
require visual observations, which it claims are ineffective.
Response: NMFS disagrees with this characterization of the
negligible impact determination. Our discussion in the Negligible
Impact Analysis and Determination section below contains the factors
NMFS considered in reaching its negligible impact determinations.
Although NMFS' implementing regulations at 50 CFR 216.104 (c) state
that NMFS may incorporate successful implementation of mitigation
measures to arrive at a negligible impact determination, for issuance
of IHAs for Hilcorp's tug towing rig activity, NMFS did rely upon an
assumption of set level of effectiveness in mitigation to make our
negligible impact determinations. That said, based on prior monitoring
efforts in Cook Inlet, it is clearly possible to detect and identify
marine mammals to the species level at kilometers away from the source
level, including beluga whales. This is dependent on several factors
such as visual acuity, sea state, glare, animal behavior/body type,
speed of travel for vessel and animal, etc.. NMFS does not assume total
effectiveness of monitoring, but the demonstrated record of protected
species observer sightings for activities in Cook Inlet illustrate that
visual monitoring is appropriate for implementing mitigation such as
avoidance in this case.
Comment 26: CBD commented that NMFS relied on Hilcorp's commitment
to operate with the favorable tide to reduce the power output of the
tugs without including the requirement in the IHAs.
Response: The requirement to use a favorable tide and operate at
night if a favorable tide fell during nighttime hours was included in
the Proposed IHAs Year 1 and Year 2 that were available on our website
(https://www.fisheries.noaa.gov/action/incidental-take-authorization-hilcorp-alaska-llc-oil-and-gas-activities-cook-inlet-alaska-0) as
measures 4.f and 4.g. It is also in the final IHAs.
Comment 27: CBD commented that NMFS failed to ensure the least
practicable adverse impact on Cook Inlet beluga whales by failing to
consider requiring the use of passive acoustic monitors to detect the
presence of marine mammals.
Response: NMFS considered the use of passive acoustic monitoring
for mitigation purposes in the rulemaking for Hilcorp's oil and gas
activities in Cook Inlet. As we stated in the notice of proposed
rulemaking, passive acoustic monitoring for previous activities in Cook
Inlet where incidental take was authorized by NMFS has not been an
effective mitigation or monitoring measure due to environmental
conditions (84 FR 12330, 12368; April 1, 2019 (incorporating by
reference discussion of limited effectiveness of passive acoustic
monitoring for survey mitigation in Hilcorp's petition for
rulemaking)). For the same reasons, we have determined passive acoustic
monitoring is not likely to be sufficiently effective at detection for
real-time mitigation for Hilcorp's tug towing activities and is not
included in the IHAs.
As CBD notes, academic researchers have begun to implement more
effective passive acoustic monitors for research purposes at several
places in Cook Inlet (Castellote et al., 2020). However, the framework
used by those researchers is impractical, particularly for Hilcorp's
planned activity, which primarily involves straight-line transit. An
article on NOAA's website (https://www.fisheries.noaa.gov/science-blog/beluga-whale-acoustic-monitoring-survey-post-3) clearly illustrates the
level of customization, expertise, and difficulty required to assemble
a passive acoustic mooring to then deploy in the Inlet. Additionally,
these instruments are stationary, which means to effectively use these
monitors as a means of avoiding harassment of marine mammals during
Hilcorp's activity, Hilcorp would need to build and successfully deploy
dozens (or more) of stationary monitors along a route of travel that is
subject to change depending upon weather or other environmental and
shipping restrictions. Additionally, the data stored on these types of
moorings is not accessible until they are retrieved by the researcher
who deployed them. In the future, if an established network of passive
acoustic monitors with shared access to the data is available, this
could be a useful tool for implementing mitigation measures, but is
currently not practicable.
Comment 28: CBD commented that NMFS failed to consider time-area
restrictions for tugs such as Trading Bay in April and May and a
prohibition on
[[Page 62375]]
activities from July through September (CBD did not specify a location
for this proposed measure).
Response: NMFS did consider such a time-area restriction and does
not agree that these proposed restrictions are appropriate under the
least practicable adverse impact standard. Hilcorp's activity in
Trading Bay would be either a single day of transit or several hours of
positioning the jack-up rig at an existing well site. As discussed in
our above comment response, there has been one published observation of
potential (not confirmed) mating behavior of Cook Inlet beluga whales
in Trading Bay. Surveys by NMFS or McGuire et al. with concentrated
effort on the western coast of Cook Inlet have not yielded a comparable
sighting. Closure of the entire area for two months is not practicable
as Hilcorp would not be able to access the well sites that are part of
the intended activity. As discussed above and in the species-specific
section of the proposed IHAs, Cook Inlet belugas are highly
concentrated in the upper Cook Inlet especially in the summer months
(Goetz et al., 2012; McGuire et al., 2020). In the past, Cook Inlet
beluga whales used the Kenai area in summer months but that trend has
shifted in recent decades to occasional spring and fall sightings
(Ovitz, 2019). Throughout the Inlet, mean group sizes during the summer
and fall were largest in July and smallest in October, with the largest
groups seen during mid-July and early August in the Susitna River
Delta, while the smallest group sizes were in the Kenai River Delta.
These patterns of high seasonal concentrations have continued to be
documented since 2012 (e.g., McGuire et al., 2020). In reflection of
this information, NMFS has imposed time area restrictions in the
Susitna River Delta from April to November to reduce effects of
Hilcorp's activity to the greatest extent practicable. In the case of
the Tyonek platform, which lies within 10 miles of the mean lower-low
water line of the Little Susitna and Beluga Rivers, Hilcorp will
conduct aerial surveys to clear the Tyonek platform of Cook Inlet
beluga whales to the greatest extent practicable. This evidence further
suggests a closure in the middle Inlet during the summer months, in the
season with longest daylight hours and best conditions for visual
observations to implement mitigation and monitoring, is not appropriate
under the least practicable adverse impact standard.
See also response to comment 24.
Comment 29: CBD stated that NMFS failed to consider noise-quieting
engines such as electric tugboats.
Response: The citation provided by CBD regarding electric tugboats
was a link to a concept drawing of a boat that is not expected to be on
the seas in the U.S. until at least 2023. NMFS is not aware of any
commercially available seaworthy tug vessels that are used in tandem
(e.g., three tug configuration) with effective quieting technologies or
of any company or entity with electric tug fleets able to use them in
tandem as required for Hilcorp's activities.
Comment 30: CBD commented that NMFS did not meaningfully consider
the chosen clearance zone distance of 1,500 meters and that it is not
equivalent to the Level B harassment zone.
Response: CBD is correct that the clearance zone required under the
IHAs (1,500 m) is not equivalent to the Level B harassment zone (3,850
m). There is no requirement that the clearance zone be equal to or
greater than the Level B harassment zone. Using the Level B harassment
zone as the clearance zone would be impractical as identification of
certain species may be unreliable at such distance in Cook Inlet's
environmental conditions. The 1,500 m distance ensures more effective
monitoring closest to the vessels, where any potential impact to
animals is anticipated to be the greatest. While underway, protected
species observers will observe for marine mammals to the greatest
extent possible (and they are not limited to observing within 1,500 m
of the vessel). Any marine mammal sighted by PSOs at any distance is
noted and reported to NMFS, per the reporting requirements of the IHAs.
Comment 31: CBD comments that NMFS defines its purpose and need in
the Environmental Assessment too narrowly, making issuance of
successive IHAs the only option.
Response: NMFS disagrees with this characterization of purpose and
need. Under section 101(a)(5)(D) of the MMPA, NMFS has an obligation to
consider and grant requests for the taking of marine mammals incidental
to a specified activity, provided they satisfy the relevant
requirements. Hilcorp submitted an application for two IHAs, each
covering 1 year of tug towing rig activity. Once deemed adequate and
complete, NMFS had an obligation to consider and respond to these
requests in the manner described in the implementing regulations. While
Hilcorp's request for two IHAs did not guarantee that they would be
issued (i.e., if one or both years of the specified activity did not
satisfy the relevant MMPA standards, NMFS would not issue the IHA(s)),
characterizing the purpose and need to include issuance of only one IHA
would not be in accordance with our requirement to consider both
adequate and complete requests submitted by Hilcorp.
Comment 32: CBD commented that NMFS segmented its analysis of the
impacts of Hilcorp's activities under these IHAs from the activities
authorized under the ITRs.
Response: As explained earlier (see Comment 1), NMFS is in the
process of withdrawing the ITRs based on Hilcorp's representations that
they will not be undertaking any further activities for which take was
authorized under the ITR during the remaining period of effectiveness.
The only take currently authorized by NMFS incidental to Hilcorp's
activities in Cook Inlet, Alaska, over the next 2 years is through the
two IHAs for the take incidental to tugs towing the jack-up rig, as
described in this notice.
Comment 33: CBD commented that NMFS failed to consider several
additional alternatives under NEPA including: requiring the use of
passive acoustic monitoring to detect the presence of marine mammals;
requiring the use of drones to detect the presence of marine mammals;
requiring the use of electric tugboats; restrictions on the timing of
activities when Cook Inlet belugas are less likely to be present;
restrictions on the overall amount of authorized activity, and
authorizing take incidental to decommissioning activity but not
production activity.
Response: Under NEPA, NMFS is required to consider a reasonable
range of alternatives. Our EA considered the preferred alternative,
which satisfied our purpose and need, and the no-action alternative. We
also considered, but rejected from further consideration, two
variations of the preferred alternative, including alternative
technologies (such as electric tugboats). Similarly, as explained in a
previous response, NMFS is not requiring mitigation such as passive
acoustic monitoring or electric tugboats because they do not satisfy
the MMPA's least practicable adverse impact standard. NMFS is requiring
a time-area closure specifically to enhance protection for Cook Inlet
beluga whales based on the best available science. This mitigation
measure to protect Cook Inlet beluga whales in a biologically important
area at times of known high density of whales was included in the
preferred alternative. NMFS did not explore ``restrictions on the
overall amount of authorized activity'' because NMFS does not authorize
the underlying activity, and restricting the amount would have changed
the applicant's specified activity (and further was not necessary
[[Page 62376]]
to reach our negligible impact determinations). NMFS did not consider
authorizing take incidental to decommissioning (P&A) activity but not
production activity because for purposes of our MMPA analyses of the
impacts of the tug activities, these are exactly the same activity--the
same three tugboats pulling and positioning one jack-up rig for the
time windows provided in the project description. NMFS is not
authorizing any take of marine mammals incidental to production
drilling itself or decommissioning itself, but rather the moving of the
jack-up rig into position, which will then be used to complete those
activities. Authorizing take incidental to tugs towing the jack-up rig
to be used only for decommissioning purposes would be arbitrary and
capricious.
Comment 34: CBD commented that NMFS' EA failed to consider impacts
from vessels and other sources associated with Hilcorp's activity, even
if they do not rise to the level of take.
Response: NMFS disagrees with this characterization. In the
description of the activity in NMFS' EA, as in the Federal Register
notice of proposed IHAs, NMFS includes a discussion of other activity
associated with Hilcorp's rig-towing and why it does not rise to the
level of take. NMFS has included that discussion in this Federal
Register notice as well with further detail about the way Hilcorp plans
to conduct those activities that means take is unlikely. Aspects of
these sources, such as increased vessel traffic or helicopter traffic
to the area, are addressed in the EA in the Cumulative Effects section.
Comment 35: CBD commented that NMFS' EA relies on mitigation
measures required in the IHAs to dismiss the significance of impacts
from Hilcorp's activity, claiming that the mitigation measures rely on
marine mammals being detected by observers which CBD considers
ineffective. CBD did not provide any examples or citations of this in
their description.
Response: NMFS does not rely on ineffective mitigation measures to
dismiss the significance of impacts--as described in the EA, the
primary reason the impacts are considered insignificant are because of
the limited duration of the activity (14 and 16 days respectively), the
low level of noise created by the tug configuration, and the low
density of marine mammals in the action area resulting in small
exposure estimates. Further, NMFS disagrees with the characterization
that the mitigation measures are ``ineffective'' because they rely on
visual detection. NMFS has received many marine mammal monitoring
reports over the years demonstrating that visual observers for marine
mammals are effective in Cook Inlet. At no point in the MMPA or NEPA
analysis does NMFS assume that mitigation is 100 percent effective, as
environmental conditions can confound monitoring effort, but there is a
spectrum of effectiveness when implementing mitigation, and visual
observation in Cook Inlet is an appropriate means for detecting marine
mammals to implement mitigation zones.
Comment 36: CBD comments that NMFS' EA fails to properly analyze
the current state of climate change and how new fossil fuel production
contributes to climate change. CBD claims that NMFS must consider and
disclose how facilitating fossil fuel production and total greenhouse
gas emissions associated with the project will exacerbate climate
change. As part of this analysis, CBD contends that NMFS must consider
downstream greenhouse gas emissions.
Response: NMFS considers climate change in its EA. However, as
described previously, NMFS does not authorize production drilling or
any of Hilcorp's activities but rather take of marine mammals
incidental to Hilcorp's activities. In Federal waters, BOEM conducts
lease sales that provide qualified bidders the opportunity to bid on
blocks of the outer continental shelf to gain conditional rights to
explore, develop, and produce oil and natural gas in those blocks.
BOEM's consideration of climate change for its lease sales is found in
the agency's environmental compliance documents, such as the EIS
written for Lease Sale 244 (BOEM, 2016), the most recent lease sale in
Cook Inlet, Alaska. Of note, for Alaska state waters, Hilcorp would
obtain necessary permits for production drilling from Alaska Department
of Environmental Conservation. NMFS' IHAs cover take of marine mammals
incidental to tugs towing and positioning a jack-up rig, which may
occur even if Hilcorp produces no natural gas or oil from their wells
with the jack-up rig.
Comment 37: CBD commented that NMFS failed to properly consider
impacts to subsistence use as Hilcorp's activity would impede the
recovery of Cook Inlet beluga whales, which in turn affects the beluga
harvest.
Response: NMFS considered impacts on subsistence users, especially
for species such as harbor seals, which are harvested by communities
along Cook Inlet. NMFS found that take of Cook Inlet beluga whales
incidental to Hilcorp's tug towing activity would have a negligible
impact on the stock and there is no evidence to suggest that the
impacts of 14 or 16 days of rig towing per year for 2 years (resulting
in 11 and 22 low-level behavioral disturbance events, respectively),
would impact the reproductive success or survival of any individual in
any way, much less impede the recovery or impact the availability of
Cook Inlet beluga whales for subsistence harvest were a harvest to
occur.
Comment 38: CBD also commented that NMFS failed to take a hard look
at cumulative impacts of the IHAs, specifically with respect to Cook
Inlet beluga whales.
Response: NMFS disagrees with the assertion that cumulative impacts
were not adequately considered, especially with respect to Cook Inlet
beluga whales. Cook Inlet beluga whales are frequently discussed
together with the other 11 species of marine mammal for which take is
authorized, as cited in CBD's example regarding vessel noise, because
effects of vessel noise on Cook Inlet beluga whales are expected to be
highly similar to the effects of vessel noise on other marine mammals,
except in that the number of takes is different (and lower) than some
other species due to their likely distribution in the area. As
described in Castellote et al. (2019), Cook Inlet beluga whales are one
of the species that exhibits high site fidelity with a strong temporal
correlation. Because of this, there is strong evidence that Cook Inlet
beluga whales are not expected to occur in the project area during the
ice-free season when Hilcorp would be towing the rigs in a largely
offshore environment. While Cook Inlet beluga whales exhibit high site
fidelity, it is not fidelity to the project area at the time of year
and location of Hilcorp's platforms. They may be affected by other
activities in the area where they would be expected to occur in ice-
free seasons, such as the Port of Anchorage, and those activities are
discussed in our Cumulative Effects section of the EA.
Cumulative impacts have been adequately addressed under NEPA in the
final environmental assessment (EA) supporting NMFS' determination. In
the final EA, we reviewed potential direct, indirect, and cumulative
impacts to protected species and their environment, associated with
NMFS' proposed action and alternatives. Separately, cumulative effects
were analyzed as required through NMFS' required intra-agency
consultation under section 7 of the ESA. The Biological Opinion (BiOp)
that NMFS Alaska Region issued on September 9, 2022, determined that
NMFS' action of issuing the IHAs is not likely to
[[Page 62377]]
jeopardize the continued existence of listed marine mammals or result
in the destruction or adverse modification of critical habitat of such
species, including Cook Inlet beluga whales.
Comment 39: CBD commented that NMFS' cumulative impacts analysis
ignores the impacts of take of Cook Inlet beluga whales already
authorized or occurring, including take from other ITAs, research
permits, and unpermitted takes from vessel noise, water pollution, and
other impacts. Further, CBD commented that NMFS should attempt to
quantify take and analyze impacts to the species in the EA.
Response: NMFS agrees with CBD that a quantification of take may be
helpful to the public and has included those numbers in the appropriate
section of the EA's cumulative effects discussion. However, these take
numbers are frequently taken out of context when purely summed. Takes
of marine mammals, including Cook Inlet beluga whales, through other
ITAs is considered in NMFS' environmental baseline when conducting the
necessary analysis for issuance of these IHAs. There are other takes of
Cook Inlet beluga whales authorized for scientific research and
enhancement of the species. While they are all considered ``take'' for
purposes of issuing an authorization or permit under the MMPA in
advance of an activity, the context of these takes is important (see
responses to Comments 13 and 14). Authorized takes, in the research
context, are what allow researchers frequently cited by NMFS and CBD
(e.g., Castellote et al., McGuire et al., Shelden et al., Hobbs et al.)
to collect the scientific data necessary to inform their publications.
Researchers' interactions with marine mammals are carefully controlled
through permit conditions and reporting requirements, which often
require research efforts to cease if any effects to important
biological functions are detected by qualified researchers that are
skilled at observing marine mammal behavior (NMFS, 2019).
The context of the take is of the utmost importance when
cumulatively evaluating takes of marine mammals, as the intensity of
impacts from a given activity can vary widely. For example, an animal
exposed to noise levels just above our harassment threshold in a non-
critical area may experience a small change in a behavioral pattern
with no biological consequence while an animal exposed to very loud
noise levels in an area where active critical foraging occurs could
result in behavioral changes that may be more likely to impact fitness.
While both of these examples would be characterized as Level B
harassment, the resulting impact on the population could be different.
Context differences such as these are analyzed in our negligible impact
analysis for each application under the MMPA.
Furthermore, NMFS does not consider unpermitted ``takes''
explicitly in its analysis. It is difficult to determine if a take has
occurred without monitoring in place to assess the effects of a
particular activity. However, NMFS broadly and qualitatively addresses
potential effects from other types of activity or development without
distinguishing if any potential ``take'' is permitted. For example,
NMFS considers potential effects of construction activities, some of
which have the potential to result in take, in the Cumulative Effects
section of the EA. NMFS discusses the overall effects of construction
without discerning individual takes due to construction or attributing
takes to a ``permitted'' or ``unpermitted'' status.
Comment 40: CBD commented that NMFS failed to consider Hilcorp's
poor track record of environmental and safety violations and accidents
and how this may affect the environmental impacts of Hilcorp's
activities under the IHAs.
Response: Oil spills, accidents, or other disasters stemming from
man-made structures in Cook Inlet are not considered, as they are not
authorized and are a breach of authorizations and perhaps of other
agencies' regulations. It is the responsibility of the applicants to
comply with all additional regulations, and to work with the state to
obtain approval of their Oil Discharge Prevention and Contingency Plans
(ODPCP).
Comment 41: CBD commented that NMFS should reinitiate and complete
consultation on the 5-year take regulations and issue a biological
opinion that properly analyzes the impacts of all of Hilcorp's
activities on threatened and endangered species and their habitats,
including from tugs towing rigs.
Response: As described above, NMFS is in the process of withdrawing
the incidental take regulations issued to Hilcorp in 2019, as none of
the activity for which incidental take was authorized is planned to
occur in the foreseeable future. The remaining take of marine mammals
incidental to Hilcorp's activity is solely from Hilcorp's tug-towing
activities, which are covered by these IHAs and for which consultation
was completed. The resulting Biological Opinion was issued on September
9, 2022.
Changes From Proposed IHAs to Final IHAs
There are several changes from the proposed IHAs, starting with the
timing of the activity. The Year 1 and Year 2 IHAs were initially
proposed to become effective in April 2022 and April 2023,
respectively. This timeline has been delayed during the course of
processing the IHA requests. Hilcorp now requests that the Year 1 IHA
be effective September 2022 and the Year 2 IHA become effective on
September 2023. Since the conclusion of the public comment period in
June 2022, NMFS has reviewed newly available information, including
recent draft Stock Assessment Reports, information on relevant Unusual
Mortality Events, and other scientific literature, and incorporated
this information into our analysis of impacts on marine mammals and
their habitat. Additionally, NMFS removed the consideration of renewals
of the IHAs at Hilcorp's request.
During the processing of the IHA requests, Hilcorp notified NMFS of
the need to conduct the initial rig tow in June 2022. On April 28,
2022, Hilcorp sent a letter to NMFS describing the need to move the
jack-up rig as well as the mitigation and monitoring Hilcorp planned to
employ during the rig move to avoid take. In a letter dated May 17,
2022, in consideration of the low likelihood of exposures above the 120
dB harassment threshold, the short duration of the jack-up rig move,
the further reduced likelihood of exposure above 120 dB supported by
the expanded mitigation, and further, the reduced probability that an
animal exposed to a received level above 120 dB tugboat noise would
respond in a manner that qualifies as a take under the MMPA, NMFS
concurred with Hilcorp's assessment that take of marine mammals by
Level B harassment is unlikely to occur during the transport of the
jack-up rig from the Rig Tender's Dock in Nikiski to the Tyonek
platform in middle Cook Inlet. NMFS' concurrence letter did not
authorize any take of marine mammals under the MMPA or ESA incidental
to the rig move. As a result of this initial move, Hilcorp's planned
Year 1 activities have been reduced to approximately 14 days of tug
towing and positioning. This reduction in activity duration under the
IHA, and appropriate reductions in take estimates, have been made
throughout this notice and the Year 1 IHA.
Hilcorp began the mobilization process in June 2022 as described in
their April 28, 2022, letter and fully abided by all of the
minimization measures described therein. Three
[[Page 62378]]
ocean-going tugs towed the jack-up rig for 32.2 miles and the
approximate total time under load including transiting, holding and
positioning amounted to 27 hours. The jack-up rig was positioned at the
Tyonek platform where it has remained since that mobilization. During
the rig move, Hilcorp observed 14 harbor porpoises and six harbor seals
at distances ranging from 75 meters to 4,960 meters from the tug towing
jack-up rig configuration, and no beluga whales. Based on the distance
at which some animals were observed and our assumed source levels, it
is possible individual animals received sound levels greater than 120
dB, which is NMFS' current threshold for estimating when Level B
harassment is predicted to occur, though there are other qualitative
factors that may be considered. There are certain characteristics of
tugging that reduce the probability that being exposed to received
levels above 120 dB will result in disruption of behavioral patterns.
Tugboats under load, especially a multi-tug configuration, are slow-
moving as compared to typical recreational and commercial vessel
traffic. Assuming an animal was stationary, exposure from the moving
tug configuration would be on the order of minutes in any particular
location. Hilcorp's monitoring report indicates these animals were
traveling or swimming, with three animals changing their course of
direction when approaching the tug configuration, suggesting their
exposure time could have been even shorter. The slow, predictable, and
generally straight path of this tug configuration further lessened the
likelihood that exposures at the expected levels resulted in the
harassment of marine mammals. The slow transit along a predictable path
occurred in an area of routine vessel traffic where many large vessels
move in slow straight-line paths, and some individuals are expected to
be habituated to these sorts of exposures.
NMFS made two changes with respect to species and stocks included
in the final IHAs. During the course of consultation under the ESA, it
was brought to NMFS' attention that humpback whales in Cook Inlet could
potentially belong to the Western North Pacific stock as well as the
Central North Pacific stock. NMFS has considered both stocks in our
analysis for the final IHAs. Additionally, BOEM suggested that Pacific
white-sided dolphins be included based on acoustic detection data. They
have been included in our analysis and take authorized in the final
IHAs.
During the process of section 7 consultation under the ESA, Hilcorp
notified NMFS that complying with the Susitna Delta mitigation zone as
proposed would not be practicable for operations at their Tyonek
platform because the location of the platform is within the Susitna
Delta exclusion zone. The dates and applicability of the Susitna Delta
exclusion zone have been changed from the proposed to final IHAs. The
changes, as well as additional protective measures associated with the
change, are described in more detail in the Mitigation section below.
Description of Marine Mammals in the Area of Specified Activities
Sections 3 and 4 of the application summarize available information
regarding status and trends, distribution and habitat preferences, and
behavior and life history of the potentially affected species.
Additional information regarding population trends and threats may be
found in NMFS's Stock Assessment Reports (SARs; https://www.fisheries.noaa.gov/national/marine-mammal-protection/marine-mammal-stock-assessments) and more general information about these species
(e.g., physical and behavioral descriptions) may be found on NMFS's
website (https://www.fisheries.noaa.gov/find-species).
Table 4 lists all species or stocks for which take is expected and
authorized for this action, and summarizes information related to the
population or stock, including regulatory status under the MMPA and
Endangered Species Act (ESA) and potential biological removal (PBR),
where known. For taxonomy, we follow the Committee on Taxonomy (2021).
PBR is defined by the MMPA as the maximum number of animals, not
including natural mortalities, that may be removed from a marine mammal
stock while allowing that stock to reach or maintain its optimum
sustainable population (as described in NMFS's SARs). While no
mortality is anticipated or authorized here, PBR and annual serious
injury and mortality from anthropogenic sources are included here as
gross indicators of the status of the species and other threats.
Marine mammal abundance estimates presented in this document
represent the total number of individuals that make up a given stock or
the total number estimated within a particular study or survey area.
NMFS's stock abundance estimates for most species represent the total
estimate of individuals within the geographic area, if known, that
comprises that stock. For some species, this geographic area may extend
beyond U.S. waters. All managed stocks in this region are assessed in
NMFS's U.S. 2021 SARs (e.g., Muto et al., 2022). All values presented
in Table 4 are the most recent available at the time of publication and
are available in the 2021 SARs (Muto et al. 2022) (available online at:
https://www.fisheries.noaa.gov/national/marine-mammal-protection/draft-marine-mammal-stock-assessment-reports).
Table 4--Marine Mammal Species or Stocks for Which Take Is Expected and Authorized
--------------------------------------------------------------------------------------------------------------------------------------------------------
ESA/MMPA status; Stock abundance (CV,
Common name Scientific name Stock strategic (Y/N) Nmin, most recent PBR Annual M/
\1\ abundance survey) \2\ SI \3\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Order Cetartiodactyla--Cetacea--Superfamily Mysticeti (baleen whales)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Eschrichtiidae:
Gray whale...................... Eschrichtius robustus.. Eastern North Pacific.. -, -, N 26,960 (0.05, 25,849, 801 131
2016).
Family Balaenidae:
Humpback whale.................. Megaptera novaeangliae. Western North Pacific.. E, D, Y 1,107 (0.3, 865, 2006) 3 2.8
Humpback whale.................. Megaptera novaeangliae. Central North Pacific.. E, D, Y 10,103 (0.3, 7,890, 83 26
2006).
Minke whale..................... Balaenoptera Alaska................. -, -, N N/A (see SAR, N/A, see UND 0
acutorostrata. SAR).
Family Balaenopteridae (rorquals):
Fin whale....................... Balaenoptera physalus.. Northeast Pacific...... E, D, Y see SAR (see SAR, see see SAR 0.6
SAR, 2013).
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 62379]]
Superfamily Odontoceti (toothed whales, dolphins, and porpoises)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Delphinidae:
Beluga whale.................... Delphinapterus leucas.. Cook Inlet............. E, D, Y 279 (0.061, 267, 2018) 0.53 0
Killer whale.................... Orcinus orca........... Alaska Resident........ -, -, N 2,347 c (N/A, 2347, 24 1
2012).
Killer whale.................... Orcinus orca........... Gulf of Alaska, -, -, N 587 c (N/A, 587, 2012) 5.87 0.8
Aleutian Islands, and
Bering Sea Transient.
Pacific white-sided dolphin..... Lagenorhynchus North Pacific.......... -, -, N 26,880 (N/A, unknown, UND 0
obliquidens. 1998).
Family Phocoenidae (porpoises):
Harbor porpoise................. Phocoena phocoena...... Gulf of Alaska......... -, -, Y 31,046 (0.21, N/A, UND 72
1998).
Dall's porpoise................. Phocoenoides dalli..... Alaska................. -, -, N see SAR (0.097, see 131 37
SAR, 2015).
--------------------------------------------------------------------------------------------------------------------------------------------------------
Order Carnivora--Superfamily Pinnipedia
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Otariidae (eared seals and
sea lions):
Steller sea lion................ Eumetopias jubatus..... Western................ E, D, Y 52,932 a (see SAR, 318 254
52,932, 2019).
California sea lion............. Zalophus californianus. U.S.................... -, -, N 257,606 (N/A, 233,515, 14,011 >320
2014).
Family Phocidae (earless seals):
Harbor seal..................... Phoca vitulina......... Cook Inlet/Shelikof.... -, -, N 28,411 (see SAR, 807 107
26,907, 2018).
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Endangered Species Act (ESA) status: Endangered (E), Threatened (T)/MMPA status: Depleted (D). A dash (-) indicates that the species is not listed
under the ESA or designated as depleted under the MMPA. Under the MMPA, a strategic stock is one for which the level of direct human-caused mortality
exceeds PBR or which is determined to be declining and likely to be listed under the ESA within the foreseeable future. Any species or stock listed
under the ESA is automatically designated under the MMPA as depleted and as a strategic stock.
\2\ NMFS marine mammal stock assessment reports online at: www.nmfs.noaa.gov/pr/sars/. CV is coefficient of variation; Nmin is the minimum estimate of
stock abundance. In some cases, CV is not applicable depending on the methodology described in the stock assessment report (SAR) and the date of last
available survey data. Where necessary, NMFS refers reader to the SAR for more detail.
\3\ These values, found in NMFS's SARs, represent annual levels of human-caused mortality plus serious injury from all sources combined (e.g.,
commercial fisheries, ship strike). Annual mortality and serious injury often cannot be determined precisely and is in some cases presented as a
minimum value or range.
As indicated above, all 12 species (with 14 managed stocks) in
Table 4 temporally and spatially co-occur with the activity to the
degree that take could reasonably occur, and we have authorized it. In
addition, the northern sea otter may be found in Cook Inlet, Alaska.
However, sea otters are managed by the U.S. Fish and Wildlife Service
and are not considered further in this document.
Pacific White-Sided Dolphin
Pacific white-sided dolphins are a pelagic species. They are found
throughout the temperate North Pacific Ocean, north of the coasts of
Japan and Baja California, Mexico (Muto et al., 2018). They are most
common between the latitudes of 38[deg] North and 47[deg] North (from
California to Washington). The distribution and abundance of Pacific
white-sided dolphins may be affected by large-scale oceanographic
occurrences, such as El Ni[ntilde]o, and by underwater acoustic
deterrent devices (NPS, 2018a).
Scientific studies and data are lacking relative to the presence or
abundance of Pacific white-sided dolphins in or near Cook Inlet,
Alaska. Most observations of Pacific white-sided dolphins occur off the
outer coast or in inland waterways near entrances to the open ocean. A
report of acoustic monitoring efforts during Hilcorp's 3D seismic
survey in 2020 concluded that Pacific white-sided dolphins were briefly
detected near Iniskin Bay in Cook Inlet. Detections of vocalizations
typically lasted on the order of minutes, suggesting the animals did
not remain in the area and/or continue vocalizing for extended
durations. These observational data, combined with anecdotal
information, indicate that there is a small potential for Pacific
white-sided dolphins to occur in the Project area. On May 7, 2014,
Apache Alaska observed three Pacific white-sided dolphins during an
aerial survey near Kenai. This is one of the only recorded visual
observations of Pacific white-sided dolphins in Cook Inlet; they have
not been reported in groups as large as those estimated in other parts
of Alaska (e.g., 92 animals in NMFS' IHAs for Tongass Narrows). Due to
the cryptic nature of the species and the lack of maneuverability of
the tug configuration, take of Pacific white-sided dolphins was added
to the proposed authorizations for Year 1 and Year 2.
Humpback whale
Humpback whales are found throughout southern Alaska in a variety
of marine environments, including open-ocean, near-shore waters, and
areas with strong tidal currents (Dahlheim et al., 2009). Most humpback
whales are migratory and spend winters in the breeding grounds off
either Hawaii or Mexico. Humpback whales are regularly present and
feeding in Cook Inlet in the summer. Current threats to humpback whales
include vessel strikes, spills, climate change, and commercial fishing
operations (Muto et al., 2021).
Humpback whales worldwide were designated as ``endangered'' under
the Endangered Species Conservation Act in 1970, and were listed under
the ESA at its inception in 1973. However, on September 8, 2016, NMFS
published a final decision that changed the status of humpback whales
under the ESA (81 FR 62259), effective October 11, 2016. The decision
recognized the existence of 14 distinct population segments (DPSs)
based on distinct breeding areas in tropical and temperate waters. Five
of the 14 DPSs were classified under the ESA (4 endangered and 1
threatened),
[[Page 62380]]
while the other 9 DPSs were delisted. Humpback whales found in the
project area are predominantly members of the Hawaii DPS, which is not
listed under the ESA. However, based on analyses of photo-
identification studies in Alaska, members of the Mexico DPS and the
Western North Pacific DPS, which are listed as threatened and
endangered respectively, are thought to occur in Cook Inlet.
Approximately 1 percent of all humpback whales in Cook Inlet are
thought to belong to the endangered Western North Pacific DPS and 11
percent are thought to belong to the threatened Mexico DPS. All other
humpback whales present are thought to belong to the non-listed Hawaii
DPS (Wade et al., 2021). Members of different DPSs are known to
intermix on feeding grounds; therefore, all waters off the coast of
Alaska should be considered to have ESA-listed humpback whales.
Critical habitat was recently designated near the entrance of lower
Cook Inlet for Western North Pacific DPS and Mexico DPS humpback whales
(86 FR 21082, April 21, 2021); however, Hilcorp's action area does not
spatially overlap with any critical habitat designated for humpback
whale DPS.
The DPSs of humpback whales that were identified through the ESA
listing process do not necessarily equate to the existing MMPA stocks.
The stock delineations of humpback whales under the MMPA are currently
under review. Until this review is complete, NMFS considers humpback
whales in Cook Inlet to primarily be part of the Central North Pacific
stock, with a status of endangered under the ESA and designations of
strategic and depleted under the MMPA (Muto et al., 2021). As described
in the above Changes from Proposed IHAs to Final IHAs, during the
course of consultation under the Endangered Species Act, it was brought
to NMFS' attention that humpback whales in Cook Inlet could
occasionally be from the Western North Pacific stock, and therefore
have been included as a potential stock in the Final IHAs.
In the summer, humpback whales are regularly present and feeding in
the Cook Inlet region, including Shelikof Strait, Kodiak Island bays,
and the Barren Islands, in addition to Gulf of Alaska regions adjacent
to the southeast side of Kodiak Island (especially Albatross Banks),
the Kenai and Alaska peninsulas, Elizabeth Island, as well as south of
the Aleutian Islands. Humpbacks also may be present in some of these
areas throughout autumn (Muto et al., 2017).
Humpback whales have been observed during marine mammal surveys
conducted in Cook Inlet; however, their presence is largely confined to
lower Cook Inlet. During SAExploration's 2015 seismic program, three
humpback whales were observed in Cook Inlet; two near the Forelands and
one in Kachemak Bay (Kendall et al., 2015). During NMFS Cook Inlet
beluga whale aerial surveys from 2000 to 2018, there were 88 sightings
of 191 estimated individual humpback whales in lower Cook Inlet
(Shelden et al., 2017). They have been regularly seen near Kachemak Bay
during the summer months (Rugh et al., 2005). There are observations of
humpback whales as far north as Anchor Point, with recent summer
observations extending to Cape Starichkof (Owl Ridge, 2014). Several
humpback whale sightings occurred lower Cook Inlet between Iniskin
Peninsula and Kachemak Bay near Augustine, Barren, and Elizabeth
Islands (Shelden et al., 2013, 2015, 2017). There were two sightings of
three humpback whales observed near Ladd Landing north of the Forelands
on the recent Harvest Alaska Cook Inlet Pipeline Extension (CIPL)
project (Sitkiewicz et al., 2018). There were 14 sightings of 38
humpback whales observed in the 2019 Hilcorp lower Cook Inlet seismic
survey in the fall (Fairweather Science, 2020). This higher number of
humpback whales was expected in the lower Cook Inlet region than
Hilcorp's proposed work in the late summer/fall period.
Ferguson et al. (2015) identified a biologically important area
(BIA), in which humpback whales are known to concentrate for feeding,
in the Gulf of Alaska region. The BIA encompasses the waters east of
Kodiak Island (the Albatross and Portlock Banks), a target for
historical commercial whalers based out of Port Hobron, Alaska
(Ferguson et al., 2015; Reeves et al., 1985; Witteveen et al., 2007).
This BIA also includes waters along the southeastern side of Shelikof
Strait and in the bays along the northwestern shore of Kodiak Island.
The highest densities of humpback whales around the Kodiak Island BIA
occur from July-August (Ferguson et al., 2015). This BIA lies directly
south but does not spatially overlap with Hilcorp's proposed action
area.
A detailed description of the of the other species likely to be
affected by Hilcorp's tug towing jack-up rig activity, including brief
introductions to the species and relevant stocks as well as available
information regarding population trends and threats, and information
regarding local occurrence, were provided in the Federal Register
notice for the proposed IHA (87 FR 27597, May 9, 2022); since that
time, we are not aware of any changes in the status of these species
and stocks; therefore, detailed descriptions are not provided here.
Please refer to that Federal Register notice for these descriptions.
Please also refer to NMFS' website (https://www.fisheries.noaa.gov/find-species) for generalized species accounts.
Marine Mammal Hearing
Hearing is the most important sensory modality for marine mammals
underwater, and exposure to anthropogenic sound can have deleterious
effects. To appropriately assess the potential effects of exposure to
sound, it is necessary to understand the frequency ranges marine
mammals are able to hear. Not all marine mammal species have equal
hearing capabilities (e.g., Richardson et al., 1995; Wartzok and
Ketten, 1999; Au and Hastings, 2008). To reflect this, Southall et al.
(2007, 2019) recommended that marine mammals be divided into hearing
groups based on directly measured (behavioral or auditory evoked
potential techniques) or estimated hearing ranges (behavioral response
data, anatomical modeling, etc.). Note that no direct measurements of
hearing ability have been successfully completed for mysticetes (i.e.,
low-frequency cetaceans). Subsequently, NMFS (2018) described
generalized hearing ranges for these marine mammal hearing groups.
Generalized hearing ranges were chosen based on the approximately 65
decibel (dB) threshold from the normalized composite audiograms, with
the exception for lower limits for low-frequency cetaceans where the
lower bound was deemed to be biologically implausible and the lower
bound from Southall et al. (2007) retained. Marine mammal hearing
groups and their associated hearing ranges are provided in Table 5.
[[Page 62381]]
Table 5--Marine Mammal Hearing Groups
[NMFS, 2018]
------------------------------------------------------------------------
Hearing group Generalized hearing range *
------------------------------------------------------------------------
Low-frequency (LF) cetaceans (baleen 7 Hz to 35 kHz.
whales).
Mid-frequency (MF) cetaceans 150 Hz to 160 kHz.
(dolphins, toothed whales, beaked
whales, bottlenose whales).
High-frequency (HF) cetaceans (true 275 Hz to 160 kHz.
porpoises, Kogia, river dolphins,
cephalorhynchid, Lagenorhynchus
cruciger & L. australis).
Phocid pinnipeds (PW) (underwater) 50 Hz to 86 kHz.
(true seals).
Otariid pinnipeds (OW) (underwater) 60 Hz to 39 kHz.
(sea lions and fur seals).
------------------------------------------------------------------------
* Represents the generalized hearing range for the entire group as a
composite (i.e., all species within the group), where individual
species' hearing ranges are typically not as broad. Generalized
hearing range chosen based on ~65 dB threshold from normalized
composite audiogram, with the exception for lower limits for LF
cetaceans (Southall et al., 2007) and PW pinniped (approximation).
The pinniped functional hearing group was modified from Southall et
al. (2007) on the basis of data indicating that phocid species have
consistently demonstrated an extended frequency range of hearing
compared to otariids, especially in the higher frequency range
(Hemil[auml] et al., 2006; Kastelein et al., 2009; Reichmuth and Holt,
2013).
For more detail concerning these groups and associated frequency
ranges, please see NMFS (2018) for a review of available information.
Potential Effects of Specified Activities on Marine Mammals and Their
Habitat
The underwater noise from Hilcorp's tug towing jack-up rig activity
has the potential to result in behavioral harassment of marine mammals
in the vicinity of the survey area. The notice of proposed IHA (87 FR
27597, May 9, 2022) included a discussion of the effects of
anthropogenic noise on marine mammals and the potential effects of
underwater noise from Hilcorp's tug towing jack-up rig activity on
marine mammals and their habitat. The effects described in the notice
of proposed IHAs are expected to be the same on Western North Pacific
stock of humpback whales and Pacific white-sided dolphins as for the
other species and stocks considered in the proposed IHAs. That
information and analysis is incorporated by reference into this final
IHA determination and is not repeated here; please refer to the notice
of proposed IHA (87 FR 27597, May 9, 2022).
Estimated Take
This section provides an estimate of the number of incidental takes
authorized through these IHAs, which informs both NMFS' consideration
of ``small numbers'' and the negligible impact determinations.
Harassment is the only type of take reasonably expected to result
from these activities. Except with respect to certain activities not
pertinent here, section 3(18) of the MMPA defines ``harassment'' as any
act of pursuit, torment, or annoyance, which (i) has the potential to
injure a marine mammal or marine mammal stock in the wild (Level A
harassment); or (ii) has the potential to disturb a marine mammal or
marine mammal stock in the wild by causing disruption of behavioral
patterns, including, but not limited to, migration, breathing, nursing,
breeding, feeding, or sheltering (Level B harassment).
Authorized takes would be by Level B harassment only, in the form
of disruption of behavioral patterns for individual marine mammals
resulting from exposure to the tugs towing and positioning the jack-up
rig. Based on the nature of the activity, Level A harassment is neither
anticipated nor authorized.
As described previously, no serious injury or mortality is
anticipated or authorized for this activity. Below we describe how the
authorized take numbers are estimated.
For acoustic impacts, generally speaking, we estimate take by
considering: (1) acoustic thresholds above which NMFS believes the best
available science indicates marine mammals will be behaviorally
harassed or incur some degree of permanent hearing impairment; (2) the
area or volume of water that will be ensonified above these levels in a
day; (3) the density or occurrence of marine mammals within these
ensonified areas; and, (4) the number of days of activities. We note
that while these factors can contribute to a basic calculation to
provide an initial prediction of potential takes, additional
information that can qualitatively inform take estimates is also
sometimes available (e.g., previous monitoring results or average group
size). Below, we describe the factors considered here in more detail
and present the take estimates.
Acoustic Thresholds
NMFS recommends the use of acoustic thresholds that identify the
received level of underwater sound above which exposed marine mammals
would be reasonably expected to be behaviorally harassed (equated to
Level B harassment) or to incur permanent threshold shift (PTS) of some
degree (equated to Level A harassment).
Level B Harassment--Though significantly driven by received level,
the onset of behavioral disturbance or harassment from anthropogenic
noise exposure is also informed to varying degrees by other factors
related to the source or exposure context (e.g., frequency,
predictability, duty cycle, duration of the exposure, signal-to-noise
ratio, distance to the source), the environment (e.g., bathymetry,
other noises in the area, predators in the area), and the receiving
animals (hearing, motivation, experience, demography, life stage,
depth) and can be difficult to predict (e.g., Southall et al., 2007,
2021, Ellison et al., 2012). Accordingly, based on what the available
science indicates and the practical need to use a threshold based on a
metric that is both predictable and measurable for most activities,
NMFS typically uses a generalized acoustic threshold based on received
level to reasonably estimate the onset of behavioral harassment. NMFS
generally predicts that marine mammals are likely to be behaviorally
affected in a manner considered to be Level B harassment when exposed
to underwater anthropogenic noise above root-mean-squared pressure
received levels (RMS SPL) of 120 dB (referenced to 1 micropascal (re 1
[mu]Pa)) for continuous (e.g., vibratory pile-driving, drilling) and
above RMS SPL, 160 dB re 1 [mu]Pa (rms) for non-explosive impulsive
(e.g., seismic airguns) or intermittent (e.g., scientific sonar)
sources.
Hilcorp's activity includes the use of continuous (tug towing and
positioning the rig) sources, and therefore the RMS SPL 120 dB re 1
[mu]Pa is applicable.
Level A harassment for non-explosive sources--NMFS' Technical
Guidance for Assessing the Effects of Anthropogenic Sound on Marine
[[Page 62382]]
Mammal Hearing (Version 2.0) (Technical Guidance, 2018) identifies dual
criteria to assess auditory injury (Level A harassment) to five
different marine mammal groups (based on hearing sensitivity) as a
result of exposure to noise from two different types of sources
(impulsive or non-impulsive). Hilcorp's activity includes the use of
non-impulsive (tugs towing rig) sources.
These thresholds are provided in the table below. The references,
analysis, and methodology used in the development of the thresholds are
described in NMFS 2018 Technical Guidance, which may be accessed at
https://www.fisheries.noaa.gov/national/marine-mammal-protection/marine-mammal-acoustic-technical-guidance.
Table 6--Thresholds Identifying the Onset of Permanent Threshold Shift
----------------------------------------------------------------------------------------------------------------
PTS onset acoustic thresholds * (received level)
Hearing group ------------------------------------------------------------------------
Impulsive Non-impulsive
----------------------------------------------------------------------------------------------------------------
Low-Frequency (LF) Cetaceans........... Cell 1: Lpk,flat: 219 dB; Cell 2: LE,LF,24h: 199 dB.
LE,LF,24h: 183 dB.
Mid-Frequency (MF) Cetaceans........... Cell 3: Lpk,flat: 230 dB; Cell 4: LE,MF,24h: 198 dB.
LE,MF,24h: 185 dB.
High-Frequency (HF) Cetaceans.......... Cell 5: Lpk,flat: 202 dB; Cell 6: LE,HF,24h: 173 dB.
LE,HF,24h: 155 dB.
Phocid Pinnipeds (PW)(Underwater)...... Cell 7: Lpk,flat: 218 dB; Cell 8: LE,PW,24h: 201 dB.
LE,PW,24h: 185 dB.
Otariid Pinnipeds (OW)(Underwater)..... Cell 9: Lpk,flat: 232 dB; Cell 10: LE,OW,24h: 219 dB.
LE,OW,24h: 203 dB.
----------------------------------------------------------------------------------------------------------------
* Dual metric acoustic thresholds for impulsive sounds: Use whichever results in the largest isopleth for
calculating PTS onset. If a non-impulsive sound has the potential of exceeding the peak sound pressure level
thresholds associated with impulsive sounds, these thresholds should also be considered.
Note: Peak sound pressure (Lpk) has a reference value of 1 [mu]Pa, and cumulative sound exposure level (LE) has
a reference value of 1[mu]Pa\2\s. In this Table, thresholds are abbreviated to reflect American National
Standards Institute standards (ANSI, 2013). However, peak sound pressure is defined by ANSI as incorporating
frequency weighting, which is not the intent for this Technical Guidance. Hence, the subscript ``flat'' is
being included to indicate peak sound pressure should be flat weighted or unweighted within the generalized
hearing range. The subscript associated with cumulative sound exposure level thresholds indicates the
designated marine mammal auditory weighting function (LF, MF, and HF cetaceans, and PW and OW pinnipeds) and
that the recommended accumulation period is 24 hours. The cumulative sound exposure level thresholds could be
exceeded in a multitude of ways (i.e., varying exposure levels and durations, duty cycle). When possible, it
is valuable for action proponents to indicate the conditions under which these acoustic thresholds will be
exceeded.
Ensonified Area
Here, we describe operational and environmental parameters of the
activity that will feed into identifying the area ensonified above the
acoustic thresholds, which include source levels and transmission loss
coefficient.
As described above in the Detailed Description of Specific
Activity, based on in situ measurements of Hilcorp's tug and a review
of the available literature of tugs under load, a source level of 185
dB re 1 [mu]Pa was used for Hilcorp's three tug configuration for
towing the jack-up-rig. Hilcorp contracted SLR Consulting to model the
extent of the Level B harassment isopleth as well as the extent of the
PTS isopleth for their activity.
Rather than applying practical spreading loss, SLR created a more
detailed propagation loss model in an effort to improve the accuracy of
the results by considering the influence of environmental variables
(e.g. bathymetry) at the specific well sites, as Hilcorp's operational
locations are known in advance. Modeling was conducted using dBSea
software. The fluid parabolic equation modeling algorithm was used with
5 Pad[eacute] terms (see pg. 57 in Hilcorp's application for more
detail) to calculate the transmission loss between the source and the
receiver at low frequencies (\1/3\-octave bands, 31.5 Hz up to 1 kHz).
For higher frequencies (1 kHz up to 8 kHz) the ray tracing model was
used with 1,000 reflections for each ray. Sound sources were assumed to
be omnidirectional and modeled as points. The received sound levels for
the project were calculated as follows: (1) One-third octave source
spectral levels were obtained via reference spectral curves with
subsequent corrections based on their corresponding overall source
levels; (2) Transmission loss was modeled at one-third octave band
central frequencies along 100 radial paths at regular increments around
each source location, out to the maximum range of the bathymetry data
set or until constrained by land; (3) The bathymetry variation of the
vertical plane along each modeling path was obtained via interpolation
of the bathymetry dataset which has 83 m grid resolution; (4) The one-
third octave source levels and transmission loss were combined to
obtain the received levels as a function of range, depth, and
frequency; and (5) The overall received levels were calculated at a 1-m
depth resolution along each propagation path by summing all frequency
band spectral levels.
Model Inputs--Bathymetry data used in the model was collected from
the NOAA National Centers for Environmental Information (AFSC, 2019).
Using NOAA's temperature and salinity data, sound speed profiles were
computed for depths from 0 to 100 meters for May, July, and October to
capture the range of possible sound speed depending on the time of year
Hilcorp's work could be conducted. These sound speed profiles were
compiled using the Mackenzie Equation (1981) and are presented in Table
8 of Hilcorp's application. Geoacoustic parameters were also
incorporated into the model. The parameters were based on substrate
type and their relation to depth. These parameters are presented in
Table 9 of Hilcorp's application.
Detailed broadband sound transmission loss modeling in dBSea used
the source level of 185 dB re 1 [mu]Pa at 1 m calculated in one-third
octave band levels (31.5 Hz to 64,000 Hz) for frequency dependent
solutions. The frequencies associated with tug sound sources occur
within the hearing range of marine mammals in Cook Inlet. Received
levels for each hearing marine mammal group based on one-third octave
auditory weighting functions were also calculated and integrated into
the modeling scenarios of dBSea. For modeling the distances to relevant
PTS thresholds, a weighting factor adjustment was not used; instead,
the data on the spectrum associated with their source was used and
incorporated the full auditory weighting function for each marine
mammal hearing group.
Because Hilcorp plans to use the tugs towing the jack-up-rig for
essentially two functions (positioning and towing), the activity was
divided into two parts (stationary and mobile) and two approaches were
taken for modeling the relevant isopleths.
[[Page 62383]]
Stationary--For stationary activity, two locations representative
of where tugs will be stationary positioning the jack-up rig were
selected for the model. These locations are in middle Cook Inlet near
the Tyonek platform, and in lower Trading Bay where the production
platforms are located, with water depths of 40 m and 20 m respectively.
The modeling at these locations assumed a stationary 5-hour exposure to
a broadband spectrum of 185 dB as described above. A 5-hour exposure
duration was chosen to account for the up to 5-hour positioning
attempts on individual days as well as events where the tugs need to
hold the jack-up rig while waiting for a following tide. Stationary
model results are presented in Table 7.
Mobile--For the mobile portion of the activity, a representative
route was used from the Rig Tender's dock in Nikiski to the Tyonek
platform, the northernmost platform in Cook Inlet (representing Middle
Cook Inlet), as well as from the Tyonek Platform to the Dolly Varden
platform in lower Trading Bay and then from the Dolly Varden platform
back to the Rig Tender's Dock in Nikiski. This route is representative
of a typical route the tugs may take; the specific route is not yet
known because the order in which platforms will be drilled with the
jack-up rig is not yet known. The lowest threshold for the onset of PTS
is for high frequency cetaceans at 173 dB. Based on a source level of
185 dB, and assuming practical spreading, the high frequency cetacean
PTS threshold of 173 dB would be reached at 6.3 meters away from the
source. The mobile source modeling assumed a transit speed of 2.06 m/s
for the tug configuration. With an assumed vessel speed of 2.06 m/s, it
would take the vessel 6.11 seconds to traverse a distance of two times
the radius, with two times the radius used because the source is
omnidirectional and the ship is moving in a straight line. Although a
source level of 185 dB incorporates the use of three tugs
simultaneously, because the three tugs will likely not be perfectly
aligned in space (e.g., one could lag slightly behind the forward two),
three separate six second exposures were summed (one for each tug
passing in space) to arrive at a total duration of exposure of 18
seconds. While it is possible the duration of exposure could be as
short as six seconds if all tugs were perfectly aligned, separate
exposures for each tug were considered as the exact formation of the
tugging vessels at any given time is unknown. Mobile source model
results are presented in Table 8.
Because there is no temporal component associated with NMFS'
current Level B threshold, making it a potentially conservative
assumption given the transitory nature of the rig towing activity, the
results of the modeled distance to the 120 dB threshold for both
stationary and mobile tug use are presented in Table 9 below. The
average of these distances was used for calculation of estimated
exposure to Level B harassment (3,850 m).
The locations used in the stationary and mobile source models are
depicted in Figure 2 below.
BILLING CODE 3510-22-P
[[Page 62384]]
[GRAPHIC] [TIFF OMITTED] TN14OC22.070
BILLING CODE 3510-22-C
The outputs of the mobile and stationary models as distances to the
relevant threshold (in meters) are presented below in Tables 7-9.
[[Page 62385]]
Table 7--Average Distances to PTS Thresholds for Stationary Activity
--------------------------------------------------------------------------------------------------------------------------------------------------------
Average distances (m) to PTS threshold by functional hearing group
Location Season -------------------------------------------------------------------------------
LF MF HF PW OW
--------------------------------------------------------------------------------------------------------------------------------------------------------
Trading Bay............................... May......................... 100 72 716 59 ..............
Trading Bay............................... July........................ 122 73 697 63 ..............
Trading Bay............................... October..................... 98 72 694 59 ..............
Middle Cook Inlet......................... May......................... 83 83 643 77 ..............
Middle Cook Inlet......................... July........................ 89 85 664 78 ..............
Middle Cook Inlet......................... October..................... 80 84 661 78 ..............
-------------------------------------------------------------------------------
Average............................... ............................ 95 78 679 69 0
--------------------------------------------------------------------------------------------------------------------------------------------------------
Table 8--Average Distances to PTS Thresholds for Mobile Activity
--------------------------------------------------------------------------------------------------------------------------------------------------------
Average distances (m) to PTS threshold by functional hearing group
Location Season -------------------------------------------------------------------------------
LF MF HF PW OW
--------------------------------------------------------------------------------------------------------------------------------------------------------
M2........................................ May......................... .............. .............. 10 .............. ..............
M2........................................ July........................ .............. .............. 5 .............. ..............
M2........................................ October..................... .............. .............. 10 .............. ..............
M11....................................... May......................... .............. .............. 10 .............. ..............
M11....................................... July........................ .............. .............. 5 .............. ..............
M11....................................... October..................... .............. .............. 10 .............. ..............
M22....................................... May......................... .............. .............. 10 .............. ..............
M22....................................... July........................ .............. .............. 5 .............. ..............
M22....................................... October..................... .............. .............. 10 .............. ..............
-------------------------------------------------------------------------------
Average............................... ............................ 0 0 8 0 0
--------------------------------------------------------------------------------------------------------------------------------------------------------
Table 9--Average Distances to Level B Threshold
[stationary and mobile]
[120 dB]
----------------------------------------------------------------------------------------------------------------
Average distance to 120 dB threshold (m) Season average
Waypoint ------------------------------------------------ distance to
May July October threshold (m)
----------------------------------------------------------------------------------------------------------------
M1.............................................. 4,215 3,911 4,352 4,159
M2.............................................. 3,946 3,841 4,350 4,046
M3.............................................. 4,156 3,971 4,458 4,195
M4.............................................. 4,040 3,844 4,364 4,083
M5.............................................. 4,053 3,676 4,304 4,011
M6.............................................. 3,716 3,445 3,554 3,572
M7.............................................. 2,947 2,753 2,898 2,866
M8.............................................. 3,270 3,008 3,247 3,175
M9.............................................. 3,567 3,359 3,727 3,551
M10............................................. 3,600 3,487 3,691 3,593
M11............................................. 3,746 3,579 4,214 3,846
M12............................................. 3,815 3,600 3,995 3,803
M13............................................. 4,010 3,831 4,338 4,060
M14............................................. 3,837 3,647 4,217 3,900
M15............................................. 3,966 3,798 4,455 4,073
M16............................................. 3,873 3,676 4,504 4,018
M18............................................. 5,562 3,893 4,626 4,694
M20............................................. 5,044 3,692 4,320 4,352
M22............................................. 4,717 3,553 4,067 4,112
M24............................................. 4,456 3,384 4,182 4,007
M25............................................. 3,842 3,686 4,218 3,915
M26............................................. 3,690 3,400 3,801 3,630
M27............................................. 3,707 3,497 3,711 3,638
M28............................................. 3,546 3,271 3,480 3,432
M29............................................. 3,618 3,279 3,646 3,514
Average..................................... 3,958 3,563 4,029 3,850
----------------------------------------------------------------------------------------------------------------
[[Page 62386]]
Marine Mammal Occurrence
In this section we provide the information about the presence,
density, or group dynamics of marine mammals that will inform the take
calculations.
Densities for marine mammals in Cook Inlet were derived from NMFS'
Marine Mammal Laboratory (MML) aerial surveys, typically flown in June,
from 2000 to 2018 (Rugh et al., 2005; Shelden et al., 2013, 2015, 2017,
2019). A survey was also conducted in 2021 but density information is
not yet available. While the surveys are concentrated for a few days in
June annually, which may skew densities for seasonally present species,
they are still the best available long-term dataset of marine mammal
sightings available in Cook Inlet. Density was calculated by summing
the total number of animals observed and dividing the number sighted by
the area surveyed. The total number of animals observed accounts for
both lower and upper Cook Inlet. There are no density estimates
available for California sea lions and Pacific white-sided dolphins in
Cook Inlet, as they are so infrequently sighted. Densities are
presented in Table 10 below.
Table 10--Densities of Marine Mammals in Cook Inlet
------------------------------------------------------------------------
Density (indiv/
Species km\2\)
------------------------------------------------------------------------
Humpback whale.......................................... 0.001770
Minke whale............................................. 0.000009
Gray whale.............................................. 0.000075
Fin whale............................................... 0.000311
Killer whale............................................ 0.000601
Beluga whale (MML lower CI)............................. 0.000023
Beluga whale (MML middle CI)............................ 0.001110
Goetz beluga--LCI....................................... 0.011106
Goetz beluga--NCI....................................... 0.001664
Goetz beluga--TB........................................ 0.015053
Dall's porpoise......................................... 0.000154
Harbor porpoise......................................... 0.004386
Pacific white-sided dolphin............................. 0.000000
Harbor seal............................................. 0.241401
Steller sea lion........................................ 0.007609
California sea lion..................................... 0.000000
------------------------------------------------------------------------
For beluga whales, two densities were considered as a comparison of
available data. The first source considered was directly from the MML
aerial surveys, as described above. Sighting data collected during
aerial surveys is collected and then several correction factors are
applied to address perception, availability, and proximity bias. These
corrected sightings totals are then divided by the total area covered
during the survey to arrive at a density value. Densities were derived
for the entirety of Cook Inlet as well as for middle and lower Cook
Inlet. Densities across all three regions are low and there is a known
effect of seasonality on the distribution of the whales. Thus,
densities derived directly from surveys flown in June might
underestimate the density of beluga whales in lower Cook Inlet at other
ice-free times of the year.
The other mechanism for arriving at beluga whale density considered
here is the Goetz et al. (2012) habitat-based model. This model is
derived from sightings and incorporates depth soundings, coastal
substrate type, environmental sensitivity index, anthropogenic
disturbance, and anadromous fish streams to predict densities
throughout Cook Inlet. The output of this model is a beluga density map
of Cook Inlet, which predicts spatially explicit density estimates for
Cook Inlet belugas. Using the resulting grid densities, average
densities were calculated for two regions applicable to Hilcorp's
operations. The densities applicable to the area of activity (i.e., the
North Cook Inlet Unit density for middle Cook Inlet activities and the
Trading Bay density for activities in Trading Bay) are provided in
Table 11 below and were carried forward to the exposure estimates.
Likewise, when a range is given, the higher end of the range was used
out of caution to calculate exposure estimates (i.e., Trading Bay in
the Goetz model has a range of 0.004453 to 0.015053; 0.015053 was used
for the exposure estimates).
Table 11--Cook Inlet Beluga Whale Densities Based on Goetz et al. (2012)
Habitat Model
------------------------------------------------------------------------
Beluga whale density
Project Location (ind/km\2\)
------------------------------------------------------------------------
North Cook Inlet Unit (middle Cook Inlet)...... 0.001664
Trading Bay Area............................... 0.004453-0.015053
------------------------------------------------------------------------
Take Calculation and Estimation
Here we describe how the information provided above is brought
together to produce a quantitative take estimate for each of the two
IHAs.
Year 1 IHA--As described above, Hilcorp's tug towing rig activity
was divided into two portions for the purpose of take estimation:
stationary and mobile activity. For stationary activity, 5 hours of
sound production per day was assumed for up to 14 days (seven moves or
segments consisting of 2 days each). For the mobile portion of the
activity, 1 day of 9 hours of mobile activity (assuming a source
velocity of 2.06 m/s) and 6 days of 6 hours of mobile activity were
assumed, for a total of 7 rig moves. The first 5 stationary hours are
assumed to occur on the same day as the mobile hours, the second 5
stationary hours will occur the following day. The first 5 stationary
[[Page 62387]]
hours are assumed to occur on the same day as the mobile hours, the
second 5 stationary hours will occur the following day.
Year 2 IHA--For stationary activity, 5 hours of sound production
per day was assumed for up to 16 days. For mobile activity, 9 hours of
sound production was assumed for 2 days, as well as 6 hours of sound
production for 6 days, for a total of eight rig moves.
The ensonified areas calculated per activity type (stationary and
mobile) for a single day were multiplied by marine mammal densities to
get an estimate of exposures per day. This was then multiplied by the
number of days of that type of activity (stationary or mobile) to
arrive at the number of estimated exposures per year per activity type.
These exposures by activity type were then summed to result in a number
of exposures per year for all tug towing rig activity. The estimated
exposures are provided below in Tables 12 and 13 for Year 1 and Year 2
of activity, respectively. As we are now considering one less rig
mobilization in Year 1 than was considered in the notice of proposed
IHAs, the calculated exposures for Year 1 are slightly lower than those
of Year 2. There are two estimates for beluga whales provided in the
tables below to demonstrate the difference in the calculations based on
the chosen density value. As exposure estimates were calculated based
on specific potential rig moves or well locations, the density value
for beluga whales that was carried through the estimate was the higher
density value for that particular location. There are no estimated
exposures based on this method of calculation for Pacific white-sided
dolphins and California sea lions because the assumed density is 0
animals/km\2\.
Table 12--Total Calculated Exposures for Year 1
----------------------------------------------------------------------------------------------------------------
Group Species Level A Level B
----------------------------------------------------------------------------------------------------------------
LF Cetaceans.................................. Humpback whale.................. 0.000 3.065
Minke whale..................... 0.000 0.016
Gray whale...................... 0.000 0.129
Fin whale....................... 0.000 0.538
MF Cetaceans.................................. Killer whale.................... 0.000 1.041
Beluga whale NMFS............... 0.000 1.922
Beluga whale Goetz.............. 0.000 9.411
Pacific white-sided dolphin..... 0.000 0.000
HF Cetaceans.................................. Dall's porpoise................. 0.001 0.266
Harbor porpoise................. 0.031 7.595
Phocids....................................... Harbor seal..................... 0.011 418.051
Otariids...................................... Steller sea lion................ 0.000 13.176
California sea lion............. 0.000 0.000
----------------------------------------------------------------------------------------------------------------
Table 13--Total Calculated Exposures for Year 2
----------------------------------------------------------------------------------------------------------------
Group Species Level A Level B
----------------------------------------------------------------------------------------------------------------
LF Cetaceans.................................. Humpback whale.................. 0.000 4.058
Minke whale..................... 0.000 0.021
Gray whale...................... 0.000 0.171
Fin whale....................... 0.000 0.712
MF Cetaceans.................................. Killer whale.................... 0.000 1.379
Beluga whale NMFS............... 0.000 2.545
Beluga whale Goetz.............. 0.000 11.651
Pacific white-sided dolphin..... 0.000 0.000
HF Cetaceans.................................. Dall's porpoise................. 0.001 0.353
Harbor porpoise................. 0.038 10.057
Phocids....................................... Harbor seal..................... 0.012 553.565
Otariids...................................... Steller sea lion................ 0.000 17.448
California sea lion............. 0.000 0.000
----------------------------------------------------------------------------------------------------------------
Based on the analysis described above, NMFS has not authorized take
via Level A harassment related to Hilcorp's tug towing drill rig
activity. For mobile tugging, the distances to the PTS thresholds for
high frequency cetaceans (the only functional hearing group of concern
based on the model results) are smaller than the overall size of the
tug and rig configuration, making it unlikely a cetacean would remain
close enough to the tug engines to incur PTS. For stationary
positioning of the jack up rig, the PTS isopleths are up to 679 m for
high frequency cetaceans, but calculated on the assumption that an
animal would remain within several hundred meters of the jack-up rig
for the full 5 hours of noise-producing activity. Given the location of
the activity is not in an area known to be essential habitat for any
marine mammal species with extreme site fidelity over the course of 2
days, the occurrence of PTS is unlikely. A table indicating the number
of takes, by Level B harassment, authorized is provided below.
Table 14--Takes (by Level B Harassment) Calculated and Authorized for Year 1 IHA and Year 2 IHA
----------------------------------------------------------------------------------------------------------------
Year 1 calculated Year 1 authorized Year 2 calculated Year 2 authorized
----------------------------------------------------------------------------------------------------------------
Humpback whale............... 3.065................ 5 4.058............... 6
Minke whale.................. 0.016................ 6 0.021............... 6
[[Page 62388]]
Gray whale................... 0.129................ 2 0.171............... 2
Fin whale.................... 0.538................ 4 0.712............... 4
Killer whale................. 1.041................ 10 1.379............... 10
Beluga whale................. 1.922 (MML), 9.411 11 2.545 (MML), 11.651 22
(Goetz). (Goetz).
Pacific white-sided dolphin.. 0.................... 3 0................... 3
Dall's porpoise.............. 0.266................ 6 0.353............... 6
Harbor porpoise.............. 7.595................ 44 10.057.............. 44
Harbor seal.................. 418.051.............. 418 553.565............. 554
Steller sea lion............. 13.176............... 13 17.448.............. 17
California sea lion.......... 0.................... 2 0................... 2
----------------------------------------------------------------------------------------------------------------
As illustrated by the table above, the estimated exposures for
several species are less than one. While uncommon, these species have
been previously sighted in Cook Inlet and some are unlikely to appear
as solitary individuals when sighted.
For humpback whales, the number of takes authorized is increased
from the calculated estimate of four to six individuals. There were two
sightings of three humpback whales observed near Ladd Landing north of
the Forelands during the Harvest Alaska CIPL project (Sitkiewicz et
al., 2018). Based on documented observations during the CIPL survey
(the survey nearest the Action Area), Hilcorp requested six takes of
humpback whales to allow for up to two sightings of three individuals,
consistent with what was observed during the CIPL project. We expect a
small number of humpback whale groups will be exposed, with most of
these groups consisting of one or two animals. There is a small
probability more humpbacks are exposed than the calculated, three
humpbacks in Year 1 and four in Year 2, therefore, we added an
additional median group size of two humpback whales to each year
resulting in an exposure estimate of five humpbacks in Year 1 and six
in Year 2.
Minke whale takes authorized are increased from the calculated less
than one individual to five. Minke whales are commonly sighted in
groups of two or three, as well as sightings of individuals. There were
eight sightings of eight minke whales observed during the 2019 Hilcorp
lower Cook Inlet seismic survey (Fairweather Science, 2020). As the
occurrence of minke whales is expected to be less in middle Cook Inlet
than lower Cook Inlet and considering the observed group sizes, Hilcorp
is requesting six takes of minke whale to allow for the possibility of
two sightings of a group of three individuals, both in Year 1 and again
in Year 2.
During Apache's 2012 seismic program, nine gray whales were
observed in June and July (Lomac-MacNair et al., 2013). During Apache's
seismic program in 2014, one gray whale was observed (Lomac-MacNair et
al., 2014). During SAExploration's seismic survey in 2015, the 2018
CIPL project, and Hilcorp's 2019 seismic survey, no gray whales were
observed (Kendall et al., 2015; Sitkiewicz et al., 2018; Fairweather
Science, 2020). Considering the Action Area is in middle Cook Inlet
where sightings of gray whales are less common, Hilcorp is requesting
two takes of gray whales to allow for the potential occurrence of two
individual gray whales both in Year 1 and again in Year 2.
The number of fin whale takes authorized is increased from one to
four individuals, as they may be seen in groups of two to seven
individuals. During seismic surveys conducted in 2019 by Hilcorp in the
lower Cook Inlet, fin whales were recorded in groups ranging in size
from one to 15 individuals (Fairweather, 2020). During the NMFS aerial
surveys in Cook Inlet from 2000 to 2018, 10 sightings of 26 estimated
individual fin whales in lower Cook Inlet were observed (Shelden et
al., 2013, 2015, 2016, 2019). A total authorized take of four fin
whales would account for two sightings of two animals, which is the
lower end of the range of common group size. Exposure of up to four fin
whales could occur in Year 1 and again in Year 2.
The number of authorized killer whale takes is increased to 10 from
the calculated exposure of one. Killer whales are typically sighted in
pods of a few animals to 20 or more (NOAA, 2022b). During seismic
surveys conducted in 2019 by Hilcorp in the lower Cook Inlet, 21 killer
whales were observed, either as single individuals or in groups ranging
in size from 2 to 5 individuals (Fairweather, 2020). Based on
documented sightings, Hilcorp requested 10 takes of killer whales to
allow for 2 sightings with a group size of 5 individuals in Year 1 and
again in Year 2.
Depending on the density data used for each activity, the estimated
annual exposures for beluga whales is 3 to 10 animals. The number of
takes authorized for beluga whales is 11 animals for Year 1 and 22
animals in Year 2 to allow for the possibility that more than one
observation of typical Cook Inlet beluga groups occurs. The 2018 MML
aerial survey (Shelden and Wade, 2019) estimated a median group size of
approximately 11 beluga whales, although group sizes were highly
variable (2 to 147 whales) as was the case in previous survey years
(Boyd et al., 2019). We are not accounting for multiple groups of 11
belugas for Year 1 given that a large portion of the total mobilization
distance has already been traveled, making an encounter with multiple
beluga groups less likely. Additionally, vessel-based surveys in 2019
observed beluga whale groups in the Susitna River Delta (roughly 24 km
[15 miles] north of the Tyonek Platform) that ranged from 5 to 200
animals (McGuire et al., 2021). The very large groups seen in the
Susitna River Delta are not expected near Hilcorp's platforms, however,
smaller groups (i.e., around the median group size) could be traveling
through to access the Susitna River Delta and other nearby coastal
locations, particularly in the shoulder seasons when belugas are more
likely to occur in middle Cook Inlet.
The number of Dall's porpoise takes authorized is increased from
less than one estimated individual to six. Dall's porpoises are usually
found in groups averaging between two and 12 individuals (NOAA, 2022c).
During seismic surveys conducted in 2019 by Hilcorp in the lower Cook
Inlet, Dall's porpoises were recorded in groups
[[Page 62389]]
ranging in size from two to seven individuals (Fairweather, 2020). The
2012 Apache survey recorded two groups of three individual Dall's
porpoises (Lomac-MacNair, 2014). Because occurrence of Dall's porpoise
is anticipated to be less in middle Cook Inlet than lower Cook Inlet,
the smaller end of documented group sizes (three individuals) is used,
and Hilcorp requests six takes of Dall's porpoise to allow for two
sightings of three individuals similar to the numbers observed during
the 2012 Apache survey. The same number of takes are authorized in Year
1 and Year 2 because the calculated exposure for each year is less than
one, making the group size methodology equally applicable to Year 1 and
Year 2.
Harbor porpoise takes are increased from an estimated 10 takes to
44 takes. Shelden et al. (2014) compiled historical sightings of harbor
porpoises from lower to upper Cook Inlet that spanned from a few
animals to 92 individuals. The 2018 CIPL project that occurred just
north of the Action Area in Cook Inlet reported 29 sightings of 44
individuals (Sitkiewicz et al., 2018). While the duration of days that
the tugs are towing a jack-up rig will be less than the CIPL project,
given the increase in sightings of harbor porpoise in recent years, the
sighting of harbor porpoise during Hilcorp's rig move in June 2022, and
the inability to shut down the tugs, Hilcorp requests 44 takes of
harbor porpoise, commensurate with the number observed in the nearby
CIPL project. Once the rig move to Tyonek is removed from the
calculation, as Hilcorp completed that work before issuance of these
IHAs, calculated exposure of harbor porpoise is less in Year 1 than in
Year 2. However, based on Hilcorp's monitoring report during their
initial rig move, more harbor porpoises were seen than expected, so
NMFS did not reduce the authorized take for Year 1 from what was
originally requested (which included the Tyonek rig move in the
calculation). As a result, 44 takes of harbor porpoise are authorized
for both Year 1 and Year 2.
Take of harbor seal and Steller sea lion authorized for Year 1 and
Year 2 is based on the calculated exposure. Because Hilcorp already
completed a rig move to Tyonek and that effort has been removed from
the calculation, take for both species in Year 1 is less than in Year
2.
Calculated take of Pacific white-sided dolphins and California sea
lions was zero because the assumed density in Cook Inlet is zero. For
California sea lions, any potential sightings would likely be lone out
of habitat individuals. Two solitary individuals were seen during the
2012 Apache seismic survey in Cook Inlet (Lomac-MacNair et al., 2013).
Two takes are authorized based on the potential that two lone animals
could be sighted over a year of work, as was seen during Apache's year
of work. For Pacific white-sided dolphins, the only reported visual
sightings that NMFS is aware of was three dolphins from Apache's
monitoring efforts in 2014 in Kenai, which is in the general vicinity
of Hilcorp's planned activities. Therefore, NMFS authorized three takes
of Pacific white-sided dolphins annually in case a repeated group of
similar size is encountered. For both species, the same number of takes
are authorized for Year 1 and Year 2 because the calculated exposure
for each year would be zero given the lack of density data, making the
group size methodology equally applicable to Year 1 and Year 2.
Mitigation
In order to issue an IHA under section 101(a)(5)(D) of the MMPA,
NMFS must set forth the permissible methods of taking pursuant to the
activity, and 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 certain
subsistence uses. NMFS regulations require applicants for incidental
take authorizations to include information about the availability and
feasibility (economic and technological) of equipment, methods, and
manner of conducting the activity or other means of effecting the least
practicable adverse impact upon the affected species or stocks and
their habitat (50 CFR 216.104(a)(11)).
In evaluating how mitigation may or may not be appropriate to
ensure the least practicable adverse impact on species or stocks and
their habitat, as well as subsistence uses where applicable, we
carefully consider two primary factors:
(1) The manner in which, and the degree to which, the successful
implementation of the measure(s) is expected to reduce impacts to
marine mammals, marine mammal species or stocks, and their habitat, as
well as subsistence uses. This considers the nature of the potential
adverse impact being mitigated (likelihood, scope, range). It further
considers the likelihood that the measure will be effective if
implemented (probability of accomplishing the mitigating result if
implemented as planned), the likelihood of effective implementation
(probability implemented as planned), and;
(2) The practicability of the measures for applicant
implementation, which may consider such things as cost, impact on
operations, and, in the case of a military readiness activity,
personnel safety, practicality of implementation, and impact on the
effectiveness of the military readiness activity.
Mitigation for Marine Mammals and Their Habitat
NMFS anticipates the project, in both of the two IHAs, will create
an acoustic footprint above ambient sound levels of approximately 45
km\2\ around the tugs positioning the jack-up rig or for approximately
3.8 km in all directions along a towing trajectory of approximately 64
km (40 mi). There is a discountable potential for marine mammals to
incur PTS from the project, as source levels are relatively low, non-
impulsive, and animals would have to remain at very close distances for
multiple hours to accumulate acoustic energy at levels that could
damage hearing. Therefore, we do not believe there is potential for
Level A harassment. However, Hilcorp will implement a number of
mitigation measures designed to reduce the potential for and severity
of Level B harassment, protect belugas in important beluga whale
habitat, and minimize the acoustic footprint of the project.
The tugs towing a jack-up rig are not able to shut down while
transiting or positioning the rig. Hilcorp will maneuver the tugs
towing the jack-up rig such that they maintain a consistent speed
(approximately 4 knots) and avoid multiple changes of speed and
direction to make the course of the vessels as predictable as possible
to marine mammals in the surrounding environment, characteristics that
are expected to be associated with a lower likelihood of disturbance.
Hilcorp will implement a clearance zone of 1,500 meters around the
centerpoint of the three tug configuration and will employ two NMFS-
approved protected species observers (PSOs) to conduct marine mammal
monitoring for all mobile and stationary activity involving tugs towing
attached to the jack-up rig. Prior to commencing activities during
daylight hours or if there is a 30-minute lapse in operational
activities, the PSOs will monitor the clearance zone for marine mammals
for 30 minutes. If no marine mammals are observed, operations may
commence. If a marine mammal(s) is observed within the clearance zone
during the clearing, the PSOs will
[[Page 62390]]
continue to watch until either: (1) the animal(s) is outside of and on
a path away from the clearance zone; or (2) 15 minutes have elapsed if
the species was a pinniped or small cetacean, or 30 minutes for large
cetaceans whales. Once the PSOs have determined one of those conditions
are met, operations may commence.
Should a marine mammal be observed during towing or positioning,
the PSOs will monitor and carefully record any reactions observed until
the jack-up rig has reached its intended position. No new operational
activities would be started until the animal leaves the area;
transitioning from tugging to positioning without shutting down is not
considered a new operational activity. PSOs will also collect
behavioral information on marine mammals sighted during monitoring
efforts.
Hilcorp will make every effort to operate with the tide, resulting
in a low power output from the tugs towing the jack-up rig. If human
safety or equipment integrity is at risk, Hilcorp may necessarily
operate in an unfavorable tidal state. Due to the nature of tidal
cycles in Cook Inlet, it is possible the most favorable tide for the
towing operation will occur during nighttime hours. Hilcorp will
operate the tugs towing the jack-up rigs at night if the nighttime
operations result in a lower power output from the tugs by operating
with a favorable tide.
In low-light conditions, night-vision devices shown to be effective
at detecting marine mammals in low-light conditions (e.g., PVS-7 night-
vision devices or similar) will be provided to PSOs to aid in low-light
visibility. Every effort will be made to observe that the clearance
zone is free of marine mammals by using night-vision devices, however
it may not always be possible to see and clear the entire clearance
zone prior to nighttime transport. PSOs will monitor the greatest
extent feasible for 30 minutes immediately prior to the start of load
bearing activities. If no marine mammals are observed, operations may
commence. If a marine mammal is observed within the during the
clearing, the PSOs will continue to watch until either: (1) the
animal(s) is outside of and on a path away from the clearance zone; or
(2) 15 minutes have elapsed if the species was a pinniped or small
cetacean, or 30 minutes for large cetaceans whales. Once the PSOs have
determined one of those conditions are met, operations may commence.
Out of concern for potential disturbance to Cook Inlet beluga
whales in sensitive and essential habitat, Hilcorp will not conduct
noise-producing activity within 16 km (10 miles) of the mean lower-low
water (MLLW) line of the Susitna River Delta (Beluga River to the
Little Susitna River) between April 15 and November 15 with the
exception of work conducted at the Tyonek platform. The dates of
applicability of this exclusion zone have been expanded based on new
available science, including visual surveys and acoustic studies, which
indicate that substantial numbers of Cook Inlet beluga whales continue
to occur in the Susitna Delta area through at least mid-November (M.
Castellote, pers. comm., T. McGuire, pers. comm.). As the MLLW is not a
straight line but rather a jagged contour following the coastline, it
is difficult to determine the southernmost extent of the zone during
operations. For ease of implementation, the southernmost extent of the
Susitna Delta exclusion zone will be considered a straight line from
Tyonek at the west to Point Possession at the east (see Figure 3
below).
BILLING CODE 3510-22-P
[[Page 62391]]
[GRAPHIC] [TIFF OMITTED] TN14OC22.071
BILLING CODE 3510-22-C
During the course of consultation under section 7 of the ESA,
Hilcorp notified NMFS that adhering to the exclusion zone for the
Tyonek platform would not be practicable given the operational and
human safety concerns of accessing the platform outside of the open
water season. Prior to tugging the jack-up rig to and from the Tyonek
platform, Hilcorp will conduct a systematic aerial survey of all marine
waters within a 10 mile radius of the Tyonek platform that intersects
with the Susitna Delta exclusion zone, termed the aerial survey area
(see Figure 3) to ensure the area is clear of beluga whales. Aerial
surveys will be flown with a PSO observing for beluga whales at an
altitude of approximately 1,000 ft (305 m). This survey will be
conducted no more than 12 hours (one half of one tide cycle) prior to
the proposed departure of the rig from its moored or anchored location.
If beluga whales are observed during the aerial survey prior to
mobilizing the jack-up rig to or from the Tyonek platform, Hilcorp will
not begin mobilization of the rig until a subsequent aerial survey
indicates the aerial survey area contains no beluga whales. Starting
from the proposed departure date, Hilcorp will conduct aerial surveys
as described above and if belugas are seen in the aerial survey area
will defer moving the jack-up rig if there is another departure date
that fits the tide/tug criteria for moving onto and off of the dock
within 8 days. If the rig move is deferred until the next departure
window occurring within 8 days of the first proposed departure date,
Hilcorp will again conduct aerial surveys and will defer moving the rig
until the last available tide for departure that allows the tugs to
complete the transport in that second departure time frame. If beluga
whales are observed in the aerial survey area prior to the last
available tide in the already deferred second departure time-frame,
Hilcorp will move the jack-up rig to its next location. If there is not
another departure date within 8 days of the first proposed departure
date, Hilcorp will conduct multiple aerial surveys (weather permitting)
as described above and if belugas are seen in the aerial survey area
will defer moving the rig until the last available tide in that initial
departure window that fits with the tugs availability to complete the
rig transport. If ice or other safety conditions exist that require the
tugs to move the jack-up rig to preserve human safety, Hilcorp will
move the jack-up rig to its next location even if belugas are observed
in the aerial survey area.
Based on our evaluation of these measures, for both IHAs, NMFS has
determined that the mitigation measures provide the means of effecting
the least practicable impact on the affected species or stocks and
their habitat, paying particular attention to rookeries, mating
grounds, and areas of similar significance and on the availability of
such species or stock for subsistence uses.
Monitoring and Reporting
In order to issue an IHA for an activity, section 101(a)(5)(D) of
the MMPA states that NMFS must set forth requirements pertaining to the
monitoring and reporting of such taking. The MMPA implementing
regulations at 50 CFR 216.104 (a)(13) indicate that requests for
authorizations must include the suggested means of accomplishing the
necessary monitoring and reporting that will result in increased
knowledge of the species and of the level of taking or impacts on
populations of marine mammals that are expected to be
[[Page 62392]]
present in the action area. Effective reporting is critical both to
compliance as well as ensuring that the most value is obtained from the
required monitoring.
Monitoring and reporting requirements prescribed by NMFS should
contribute to improved understanding of one or more of the following:
Occurrence of marine mammal species or stocks in the area
in which take is anticipated (e.g., presence, abundance, distribution,
density).
Nature, scope, or context of likely marine mammal exposure
to potential stressors/impacts (individual or cumulative, acute or
chronic), through better understanding of: (1) action or environment
(e.g., source characterization, propagation, ambient noise); (2)
affected species (e.g., life history, dive patterns); (3) co-occurrence
of marine mammal species with the action; or (4) biological or
behavioral context of exposure (e.g., age, calving or feeding areas).
Individual marine mammal responses (behavioral or
physiological) to acoustic stressors (acute, chronic, or cumulative),
other stressors, or cumulative impacts from multiple stressors.
How anticipated responses to stressors impact either: (1)
long-term fitness and survival of individual marine mammals; or (2)
populations, species, or stocks.
Effects on marine mammal habitat (e.g., marine mammal prey
species, acoustic habitat, or other important physical components of
marine mammal habitat).
Mitigation and monitoring effectiveness.
Hilcorp will abide by all monitoring and reporting measures
contained within their Marine Mammal Monitoring and Mitigation Plan,
dated March 7, 2022. A summary of those measures and additional
requirements required by NMFS is provided below.
A minimum of two NMFS-approved PSOs will be on-watch during all
activities wherein the jack-up rig is attached to the tugs for the
duration of the project. Minimum requirements for a PSO include:
(a) Visual acuity in both eyes (correction is permissible)
sufficient for discernment of moving targets at the water's surface
with ability to estimate target size and distance; use of binoculars
may be necessary to correctly identify the target;
(b) Advanced education in biological science or related field
(undergraduate degree or higher required)--PSOs may also substitute
Alaska native traditional knowledge for experience;
(c) Experience and ability to conduct field observations and
collect data according to assigned protocols (this may include academic
experience);
(d) Experience or training in the field identification of marine
mammals, including the identification of behaviors;
(e) Sufficient training, orientation, or experience with the
activity to provide for personal safety during observations;
(f) Writing skills sufficient to prepare a report of observations
including but not limited to the number and species of marine mammals
observed; dates and times when tugging activities were conducted; dates
and times when tugging activities were suspended; and marine mammal
behavior; and
(g) Ability to communicate orally, by radio or in person, with
project personnel to provide real-time information on marine mammals
observed in the area as necessary.
PSOs will be stationed aboard a tug or the jack-up rig, work in
shifts lasting no more than 4 hours without a minimum of a 1 hour
break, and will not be on-watch for more than 12 hours within a 24-hour
period.
Hilcorp will submit monthly reports for all months in which tugs
towing or positioning the jack-up rig occurs. A draft marine mammal
monitoring report would be submitted to NMFS within 90 days after the
completion of the tug towing jack-up rig activities for the year. It
will include an overall description of work completed, a narrative
regarding marine mammal sightings, and associated marine mammal
observation data sheets. Specifically, the report must include:
Date and time that monitored activity begins or ends;
Construction activities occurring during each observation
period;
Weather parameters (e.g., percent cover, visibility);
Water conditions (e.g., sea state, tide state);
Species, numbers, and, if possible, sex and age class of
marine mammals;
Description of any observable marine mammal behavior
patterns, including bearing and direction of travel and distance from
tugging activity;
Distance from tugging activities to marine mammals and
distance from the marine mammals to the observation point;
Locations of all marine mammal observations; and
Other human activity in the area.
If no comments are received from NMFS within 30 days, the draft
final report will constitute the final report. If NMFS submits
comments, Hilcorp will submit a final report addressing NMFS comments
within 30 days after receipt of comments.
In the unanticipated event that the specified activity clearly
causes the take of a marine mammal in a manner prohibited by the IHAs
(if issued), such as an injury, serious injury or mortality, Hilcorp
would immediately cease the specified activities and report the
incident to the Chief of the Permits and Conservation Division, Office
of Protected Resources, NMFS, and the Alaska Regional Stranding
Coordinator. The report would include the following information:
Description of the incident;
Environmental conditions (e.g., Beaufort sea state,
visibility);
Description of all marine mammal observations in the 24
hours preceding the incident;
Species identification or description of the animal(s)
involved;
Fate of the animal(s); and
Photographs or video footage of the animal(s) (if
equipment is available).
Activities would not resume until NMFS is able to review the
circumstances of the prohibited take. NMFS would work with Hilcorp to
determine what is necessary to minimize the likelihood of further
prohibited take and ensure MMPA compliance. Hilcorp would not be able
to resume their activities until notified by NMFS via letter, email, or
telephone.
In the event that Hilcorp discovers an injured or dead marine
mammal, and the lead PSO determines that the cause of the injury or
death is unknown and the death is relatively recent (e.g., in less than
a moderate state of decomposition as described in the next paragraph),
Hiclrop would immediately report the incident to the Chief of the
Permits and Conservation Division, Office of Protected Resources, NMFS,
and the NMFS Alaska Stranding Hotline and/or by email to the Alaska
Regional Stranding Coordinator. The report would include the same
information identified in the paragraph above. Activities would be able
to continue while NMFS reviews the circumstances of the incident. NMFS
would work with Hilcorp to determine whether modifications in the
activities are appropriate.
In the event that Hilcorp discovers an injured or dead marine
mammal and the lead PSO determines that the injury or death is not
associated with or related to the activities authorized in the IHAs
(e.g., previously wounded animal, carcass with moderate to advanced
decomposition, or scavenger damage), Hilcorp would report the incident
to the
[[Page 62393]]
Chief of the Permits and Conservation Division, Office of Protected
Resources, NMFS, and the NMFS Alaska Stranding Hotline and/or by email
to the Alaska Regional Stranding Coordinator, within 24 hours of the
discovery. Hilcorp would provide photographs or video footage (if
available) or other documentation of the stranded animal sighting to
NMFS and the Marine Mammal Stranding Network.
Negligible Impact Analysis and Determination
NMFS has defined negligible impact as an impact resulting from the
specified activity that cannot be reasonably expected to, and is not
reasonably likely to, adversely affect the species or stock through
effects on annual rates of recruitment or survival (50 CFR 216.103). A
negligible impact finding is based on the lack of likely adverse
effects on annual rates of recruitment or survival (i.e., population-
level effects). An estimate of the number of takes alone is not enough
information on which to base an impact determination. In addition to
considering estimates of the number of marine mammals that might be
``taken'' through harassment, NMFS considers other factors, such as the
likely nature of any impacts or responses (e.g., intensity, duration),
the context of any impacts or responses (e.g., critical reproductive
time or location, foraging impacts affecting energetics), as well as
effects on habitat, and the likely effectiveness of the mitigation. We
also assess the number, intensity, and context of estimated takes by
evaluating this information relative to population status. Consistent
with the 1989 preamble for NMFS' implementing regulations (54 FR 40338,
September 29, 1989), the impacts from other past and ongoing
anthropogenic activities are incorporated into this analysis via their
impacts on the baseline (e.g., as reflected in the regulatory status of
the species, population size and growth rate where known, ongoing
sources of human-caused mortality, or ambient noise levels).
To avoid repetition, the discussion of our analysis applies to all
the species listed in Table 15, given that the anticipated effects of
this activity on these different marine mammal stocks are expected to
be similar in nature. There is little information about the nature or
severity of the impacts, or the size, status, or structure of any of
these species or stocks that would lead to a different analysis for
this activity. Where there are meaningful differences between species
or stocks, or groups of species, in anticipated individual responses to
activities, impact of expected take on the population due to
differences in population status, or impacts on habitat, they are
described independently in the analysis below.
The project would create an acoustic footprint around the project
area for a total of 14 to 16 days per year from approximately April
through October, though not necessarily in the same calendar year.
Noise levels within the footprint would reach or exceed 120 dB rms. We
anticipate the 120 dB footprint to be limited to no more than 45 km\2\
around the tugs positioning the jackup rig or approximately 3.8 km in
all directions along a towing trajectory of approximately 64 km. The
habitat within the footprint is not heavily used by marine mammals
during the project time frame (e.g., Cook Inlet beluga whale Critical
Habitat Area 2, within which the activity resulting in the take of
marine mammals is anticipated to potentially occur, is designated for
beluga fall and winter use) and marine mammals are not known to engage
in critical behaviors associated with this portion of Cook Inlet (e.g.,
no known breeding grounds, foraging habitat, etc.). Most animals will
likely be transiting through the area; therefore, exposure would be
brief. The tugs would be moving at a relatively slow speed and in a
predictable manner that is not expected to result in more severe
behavioral responses. Animals may swim around the project area,
avoiding closer approaches to the boats, but we do not expect them to
abandon any intended path.
Feeding behavior is not likely to be significantly impacted, as no
areas of biological significance for marine mammal feeding are known to
exist in the project area and individual marine mammals are not
expected to be exposed to the noise from the activities repeatedly or
in long durations. We also expect the number of animals exposed to be
small relative to population sizes. Finally, Hilcorp will minimize
potential exposure of marine mammals to elevated noise levels by not
commencing tugging activities if marine mammals are observed within the
immediate starting area. Hilcorp is also able to reduce the impact of
their activity by conducting tugging operations with favorable tides
whenever feasible. Given this, any behavioral disturbance is expected
to be comparatively low level and unlikely to affect the reproduction
success or survival of any individuals, much less the population or
stock.
Potential impacts to marine mammal habitat were discussed
previously in this document (see Potential Effects of Specified
Activities on Marine Mammals and their Habitat). Marine mammal habitat
may be impacted by elevated sound levels, but these impacts would be
temporary. In addition to being temporary and short in overall
duration, the acoustic footprint of both years of activity is small
relative to the overall distribution of the animals in the area and
their use of the area.
In summary and as described above, the following factors primarily
support our determinations that the impacts resulting from the
activities described for these two IHAs are not expected to adversely
affect the species or stock through effects on annual rates of
recruitment or survival:
No mortality, serious injury, or injury is anticipated or
authorized;
The mobile portion of the project does not involve noise
sources capable of inducing PTS in any species other than high
frequency cetaceans, and due to the small size of the PTS isopleth for
high frequency cetaceans (6 meters), it is unlikely to occur;
Exposure would likely be brief given transiting behavior
of marine mammals in the action area and the small number of days on
which the activity is occurring;
Marine mammal densities are low in the project area;
therefore, there will not be substantial numbers of marine mammals
exposed to the noise from the project compared to the affected
population sizes; and
Hilcorp will monitor for marine mammals daily and minimize
exposure to operational activities.
Based on the analysis contained herein of the likely effects of the
specified activity on marine mammals and their habitat, and taking into
consideration the implementation of the monitoring and mitigation
measures, NMFS finds that the total marine mammal take from the
activity described in the Year 1 IHA will have a negligible impact on
all affected marine mammal species or stocks. Also, separately, NMFS
finds that the total marine mammal take from the activity described in
the Year 2 IHA will have a negligible impact on all affected marine
mammal species or stocks.
Small Numbers
As noted above, only small numbers of incidental take may be
authorized under sections 101(a)(5)(A) and (D) of the MMPA for
specified activities other than military readiness activities. The MMPA
does not define small numbers and so, in practice, where estimated
numbers are available, NMFS compares the number of individuals taken to
the most appropriate estimation of
[[Page 62394]]
abundance of the relevant species or stock in our determination of
whether an authorization is limited to small numbers of marine mammals.
When the predicted number of individuals to be taken is fewer than one
third of the species or stock abundance (as it is for all stocks in
both the Year 1 and Year 2 IHAs), the take is considered to be of small
numbers. Additionally, other qualitative factors may be considered in
the analysis, such as the temporal or spatial scale of the activities.
Table 15 provides the quantitative analysis informing our small
numbers determinations for the Year 1 and Year 2 IHAs. For most
species, the amount of take authorized represents less than
approximately two percent of the population for each IHA. For beluga
whales, the amount of take authorized represents slightly under 8
percent of the population for each IHA.
Table 15--Percent of Stock Authorized To Be Taken by Level B Harassment Under Each IHA
----------------------------------------------------------------------------------------------------------------
Abundance Authorized Percent of
Species Stock (Nbest) take (Level B) stock
----------------------------------------------------------------------------------------------------------------
Year 1:
Humpback whale.................... Western North Pacific; 1,107; 10,103 5 0.45; 0.05
Central North Pacific.
Minke whale....................... Alaska.................. 1,233 6 0.49
Gray whale........................ Eastern Pacific......... 26,960 2 0.01
Fin whale......................... Northeastern Pacific.... 2,554 4 0.16
Killer whale...................... Alaska Resident, Gulf of 587; 2,347 10 1.7; 0.43
Alaska, Aleutian
Islands, and Bering Sea
Transient.
Beluga whale...................... Cook Inlet.............. 279 11 3.94
Pacific white-sided dolphin....... North Pacific........... 26,880 3 0.01
Dall's porpoise................... Alaska.................. 83,400 6 0.01
Harbor porpoise................... Gulf of Alaska.......... 31,046 44 0.14
Harbor seal....................... Cook Inlet/Shelikof..... 26,907 418 1.55
Steller sea lion.................. Western................. 53,624 13 0.02
California sea lion............... U.S..................... 233,515 2 0.00
Year 2:
Humpback whale.................... Western North Pacific; 1,107; 10,103 6 0.5; 0.06
Central North Pacific.
Minke whale....................... Alaska.................. 1,233 6 0.49
Gray whale........................ Eastern Pacific......... 26,960 2 0.01
Fin whale......................... Northeastern Pacific.... 2,554 4 0.16
Killer whale...................... Alaska Resident Gulf of 587 10 1.7; 0.43
Alaska, Aleutian
Islands, and Bering Sea
Transient.
Beluga whale...................... Cook Inlet.............. 279 22 7.89
Pacific white-sided dolphin....... North Pacific........... 26,880 3 0.01
Dall's porpoise................... Alaska.................. 83,400 6 0.01
Harbor porpoise................... Gulf of Alaska.......... 31,046 44 0.14
Harbor seal....................... Cook Inlet/Shelikof..... 26,907 554 2.06
Steller sea lion.................. Western................. 53,624 17 0.03
California sea lion............... U.S..................... 233,515 2 0.00
----------------------------------------------------------------------------------------------------------------
Based on the analysis contained herein of the activity (including
the mitigation and monitoring measures) and the anticipated take of
marine mammals, NMFS finds that small numbers of marine mammals will be
taken relative to the population size of the affected species or stocks
for the Year 1 IHA. Separately, NMFS also finds that small numbers of
marine mammals will be taken relative to the population size of the
affected species or stocks for the Year 2 IHA.
Unmitigable Adverse Impact Analysis and Determination
In order to issue an IHA, NMFS must find that the specified
activity will not have an unmitigable adverse impact on the
availability of such species or stock for taking for subsistence uses
by Alaska Natives. NMFS has defined ``unmitigable adverse impact'' in
50 CFR 216.103 as 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.
To further minimize any potential effects of their action on
subsistence activities, Hilcorp has outlined their communication plan
for engaging with subsistence users in their Stakeholder Engagement
Plan (Appendix B of Hilcorp's application). Hilcorp will be required to
abide by this plan and update the plan accordingly.
Subsistence communities identified as project stakeholders near
Hilcorp's middle Cook Inlet and Trading Bay activities include the
Village of Salamatof and the Native Village of Tyonek. The ADF&G
Community Subsistence Information System does not contain data for
Salamatof. For the purposes of our analyses for the Year 1 and Year 2
IHAs, we can assume the subsistence uses are similar to those of nearby
communities such as Kenai. At 3.5 km away from the closest point of
approach, Tyonek is the closest subsistence community to Hilcorp's
planned tug route. Tyonek, on the western side of lower Cook Inlet, has
a subsistence harvest area that extends from the Susitna River south to
Tuxedni Bay (BOEM, 2016). In Tyonek, harbor seals were harvested
between June and September by 6 percent of the households (Jones et
al., 2015). Seals were harvested in several areas, encompassing an area
stretching 32.2 km (20 miles) along the Cook Inlet coastline from the
McArthur Flats north to the Beluga River. Seals were searched for or
harvested in the Trading Bay areas as well as from the beach adjacent
to Tyonek (Jones et al., 2015).
Cook Inlet beluga whale subsistence harvest discontinued in 1999 as
a result of both a voluntary moratorium by the
[[Page 62395]]
hunters that spring, and the passage of Public Law 106-31, section 3022
(later made permanent by Pub. L. 106-553, section 627), requiring any
taking of Cook Inlet beluga whales by Alaska Natives to occur pursuant
to a cooperative agreement between NMFS and affected Alaska Native
organizations. A co-management agreement allowed the harvest of two
whales in 2005 and one whale in 2006; however, no whales were taken in
2006 due to poor weather and the avoidance of females with calves. In
2008, NMFS issued regulations (73 FR 60976, October 15, 2008)
establishing long-term limits on the maximum number of Cook Inlet
beluga whales that may be taken for subsistence by Alaska Natives.
These long-term harvest limits, developed for 5-year intervals, require
that the abundance estimates reach a minimum 5-year average of 350
belugas (50 CFR 216.23(f)(2)(v)). No hunt has been authorized since
2006.
Subsistence hunting of whales is not known to currently occur in
Cook Inlet. Hilcorp's tug towing jack-up rig activities may overlap
with subsistence hunting of seals. However, these activities typically
occur along the shoreline or very close to shore near river mouths,
whereas most of Hilcorp's tugging is in the middle of the Inlet and
rarely near the shoreline or river mouths. Any harassment to harbor
seals is anticipated to be short-term, mild, and not result in any
abandonment or behaviors that would make the animals unavailable to
Alaska Natives.
Based on the description of the specified activity, the measures
described to minimize adverse effects on the availability of marine
mammals for subsistence purposes, and the mitigation and monitoring
measures, NMFS has determined that there will not be an unmitigable
adverse impact on subsistence uses from Hilcorp's activities under the
Year 1 IHA. Separately, NMFS has also determined that there will not be
an unmitigable adverse impact on subsistence uses from Hilcorp's
activities under the Year 2 IHA.
National Environmental Policy Act
NMFS prepared an Environmental Assessment (EA) and analyzed the
potential impacts to marine mammals that would result from the Hilcorp
tug towing jack-up rig activity. A Finding of No Significant Impact
(FONSI) was signed on September 14, 2022. A copy of the EA and FONSI is
available upon request.
Endangered Species Act
NMFS authorized take of humpback whales (Mexico DPS, Western North
Pacific DPS), fin whales (Northeastern Pacific stock), beluga whales
(Cook Inlet stock), and Steller sea lion (Western DPS), which are
listed under the ESA. The NMFS Alaska Regional Office Protected
Resources Division issued a Biological Opinion on September 9, 2022
under section 7 of the ESA, on the issuance of an IHA to Hilcorp under
section 101(a)(5)(D) of the MMPA by the NMFS Permits and Conservation
Division. The Biological Opinion concluded that the action is not
likely to jeopardize the continued existence of these populations, and
is not likely to destroy or adversely modify critical habitat.
Authorization
NMFS has issued two IHAs to Hilcorp for the potential harassment of
small numbers of 12 marine mammal species incidental to tugging a jack-
up rig in Cook Inlet, Alaska, that include the aforementioned
mitigation, monitoring and reporting requirements.
Dated: October 7, 2022.
Catherine G. Marzin,
Deputy Director, Office of Protected Resources, National Marine
Fisheries Service.
[FR Doc. 2022-22343 Filed 10-13-22; 8:45 am]
BILLING CODE 3510-22-P