Taking and Importing Marine Mammals; Taking Marine Mammals Incidental to the U.S. Coast Guard's Alaska Facility Maintenance and Repair Activities, 26432-26466 [2023-08719]
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Availability
A copy of the Coast Guard’s
application and any supporting
documents, as well as a list of the
references cited in this document, may
be obtained online at:
www.fisheries.noaa.gov/national/
marine-mammal-protection/incidentaltake-authorizations-constructionactivities. In case of problems accessing
these documents, please call the contact
listed above (see FOR FURTHER
INFORMATION CONTACT).
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 217
[Docket No. 230420–0108]
RIN 0648–BK57
Taking and Importing Marine
Mammals; Taking Marine Mammals
Incidental to the U.S. Coast Guard’s
Alaska Facility Maintenance and
Repair Activities
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Proposed rule; request for
comments.
AGENCY:
NMFS has received a request
from the U.S. Coast Guard (Coast Guard)
for authorization to take marine
mammals incidental to conducting
construction activities related to
maintenance and repair at facilities in
Alaska over the course of 5 years (2023–
2028). As required by the Marine
Mammal Protection Act (MMPA), NMFS
is proposing regulations to govern that
take, and requests comments on the
proposed regulations.
DATES: Comments and information must
be received no later than May 30, 2023.
ADDRESSES: Submit all electronic public
comments via the Federal e-Rulemaking
Portal. Go to www.regulations.gov and
enter NOAA–NMFS–2022–0023 in the
Search box. Click on the ‘‘Comment’’
icon, complete the required fields, and
enter or attach your comments.
Instructions: Comments sent by any
other method, to any other address or
individual, or received after the end of
the comment period, may not be
considered by NMFS. All comments
received are a part of the public record
and will generally be posted for public
viewing on www.regulations.gov
without change. All personal identifying
information (e.g., name, address),
confidential business information, or
otherwise sensitive information
submitted voluntarily by the sender will
be publicly accessible. NMFS will
accept anonymous comments (enter ‘‘N/
A’’ in the required fields if you wish to
remain anonymous). Attachments to
electronic comments will be accepted in
Microsoft Word, Excel, or Adobe PDF
file formats only.
FOR FURTHER INFORMATION CONTACT: Cara
Hotchkin, Office of Protected Resources,
NMFS, (301) 427–8401.
SUPPLEMENTARY INFORMATION:
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SUMMARY:
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Purpose and Need for Regulatory
Action
We received an application from
Coast Guard requesting 5-year
regulations and authorization to take
multiple species of marine mammals.
This proposed rule would establish a
framework under the authority of the
MMPA (16 U.S.C. 1361 et seq.) to allow
for the authorization of take of marine
mammals incidental to the Coast
Guard’s construction activities related to
maintenance and repair at facilities in
Alaska.
Legal Authority for the Proposed Action
Section 101(a)(5)(A) of the MMPA (16
U.S.C. 1371(a)(5)(A)) directs the
Secretary of Commerce 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 for up to five years
if, after notice and public comment, the
agency makes certain findings and
issues regulations that set forth
permissible methods of taking pursuant
to that activity and other means of
effecting the ‘‘least practicable adverse
impact’’ on the affected species or
stocks and their habitat (see the
discussion below in the Proposed
Mitigation section), as well as
monitoring and reporting requirements.
Section 101(a)(5)(A) of the MMPA and
the implementing regulations at 50 CFR
part 216, subpart I provide the legal
basis for issuing this proposed rule
containing 5-year regulations, and for
any subsequent Letters of Authorization
(LOAs). As directed by this legal
authority, this proposed rule contains
mitigation, monitoring, and reporting
requirements.
Summary of Major Provisions Within
the Proposed Rule
Following is a summary of the major
provisions of this proposed rule
regarding Coast Guard construction
activities. These measures include:
• Required monitoring of the
construction areas to detect the presence
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of marine mammals before beginning
construction activities.
• Shutdown of construction activities
under certain circumstances to avoid
injury of marine mammals.
• Soft start for impact pile driving to
allow marine mammals the opportunity
to leave the area prior to beginning
impact pile driving at full power.
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
issued or, if the taking is limited to
harassment, a notice of a proposed
incidental take authorization may be
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 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.
National Environmental Policy Act
To comply with the National
Environmental Policy Act of 1969
(NEPA; 42 U.S.C. 4321 et seq.) and
NOAA Administrative Order (NAO)
216–6A, NMFS must evaluate our
proposed action (i.e., the promulgation
of regulations and subsequent issuance
of incidental take authorization) and
alternatives with respect to potential
impacts on the human environment.
This action is consistent with
categories of activities identified in
Categorical Exclusion B4 of the
Companion Manual for NAO 216–6A,
which do not individually or
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cumulatively have the potential for
significant impacts on the quality of the
human environment and for which we
have not identified any extraordinary
circumstances that would preclude this
categorical exclusion. Accordingly,
NMFS has preliminarily determined
that the proposed action qualifies to be
categorically excluded from further
NEPA review.
Information in the Coast Guard’s
application and this document
collectively provide the environmental
information related to proposed
issuance of these regulations and
subsequent incidental take
authorization for public review and
comment. We will review all comments
submitted in response to this document
prior to concluding our NEPA process
or making a final decision on the
request for incidental take
authorization.
Summary of Request
On March 15, 2021, NMFS received
an application from the Coast Guard
requesting authorization for take of
marine mammals incidental to
construction activities related to
maintenance and repair at eight Coast
Guard facilities in Alaska. On November
24, 2021 (86 FR 67023), we published a
notice of receipt of the Coast Guard’s
application in the Federal Register,
requesting comments and information
related to the request for 30 days. We
received no public comments. After the
applicant responded to our questions
and redrafted the application, we
determined the application was
adequate and complete on January 19,
2022. On August 12, 2022, the Coast
Guard submitted a minor modification
to their application (to include vibratory
driving of composite piles as part of the
specified activity).
The Coast Guard proposes to conduct
construction necessary for maintenance
and repair of existing in-water
structures at the following eight Coast
Guard station facilities in Alaska:
Kodiak, Sitka, Ketchikan, Valdez,
Cordova, Juneau, Petersburg, and
Seward. These repairs would include
installation and removal of steel,
concrete, and timber piles, involving
use of impact and vibratory hammers
and Down-The-Hole drilling (DTH)
equipment, and removal of piles by
cutting, clipping, or vibration.
Maintenance activities may also include
underwater power washing. Up to 245
piles will be removed and replaced on
a 1 to 1 basis (i.e., total pile numbers at
these facilities are expected to remain
the same) over the 5-year period of
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effectiveness for the regulations.
Hereafter (unless otherwise specified or
detailed) we use the term ‘‘pile driving’’
to refer to both pile installation and pile
removal. The use of vibratory, DTH, and
impact pile driving equipment expected
to produce underwater sound at levels
that have the potential to result in
harassment of marine mammals.
The Coast Guard requests
authorization to take individuals of 14
species by Level B harassment and, for
an additional 3 species (harbor seal,
harbor porpoise, and Dall’s porpoise),
by Level A harassment. The proposed
regulations would be valid for 5 years
(2023–2028).
Description of the Specified Activity
Overview
Maintaining existing wharfs and piers
is vital to sustaining the Coast Guard’s
mission and ensuring readiness. To
ensure continuance of necessary
missions at the eight facilities, the Coast
Guard must conduct annual
maintenance and repair activities at
existing marine waterfront structures,
including removal and replacement or
repair of piles of various types and
sizes. Exact timing and amount of
necessary in-water work is unknown,
but the Coast Guard estimates replacing
up to 245 structurally unsound piles
over the 5-year period, including
individual actions currently planned
and estimates for future marine
structure repairs. Construction will
include use of impact, DTH, and
vibratory pile driving, including
removal and installation of steel,
concrete, composite, and timber piles.
Pile removal may occur by various
cutting or clipping methods and power
washing may occur on some piles being
repaired. Pile cutting, clipping, and
power washing, and certain other
activities (e.g., deck repair, moving of
rip-rap, etc.) are not anticipated to have
the potential to result in incidental take
of marine mammals because they are
either above water, do not last for
sufficient duration to present the
reasonable potential for disruption of
behavioral patterns, do not produce
sound levels with likely potential to
result in marine mammal harassment, or
some combination of the above.
The Coast Guard’s inspection program
prioritizes deficiencies in marine
structures and plans those maintenance
and repairs for design and construction.
The Coast Guard’s proposed activities
include individual projects (where an
existing need has been identified) and
estimates for ongoing repairs. Estimates
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of activity levels for ongoing repairs are
based on Coast Guard surveys of
existing structures, which provide
assessments of structure condition and
estimates of numbers of particular pile
types that may require replacement (at
an assumed 1:1 ratio) over the 5-year
duration of these proposed regulations.
Additional allowance is made for the
likelihood that future waterfront
inspections will reveal unexpected
damage, or that damage caused by
severe weather events and/or incidents
caused by vessels will result in need for
additional contingency repairs. This
regional programmatic approach to
MMPA compliance is expected to allow
for efficient compliance for the Coast
Guard, while satisfying the
requirements of the MMPA. The
detailed discussion of planned or
anticipated projects provided here and
in the Coast Guard’s application allow
for more comprehensive analysis, while
providing a reduction in the time and
effort that could be required to obtain
individual incidental take
authorizations. LOAs could be issued
for projects conducted at any or all of
the eight facilities if they fit within the
structure of the programmatic analysis
provided herein and are able to meet the
requirements described in the
regulations.
The Coast Guard would report to
NMFS on an annual basis prior to the
start of in-water work windows to
review results of relevant projects
conducted in the preceding in-water
work window and propose upcoming
projects. The intent is to utilize lessons
learned to better inform potential effects
of future activities through adaptive
management.
Dates and Duration
The proposed regulations would be
valid for a period of 5 years from the
date of issuance. The specified activities
may occur at any time during the 5-year
period of validity of the proposed
regulations, subject to existing timing
restrictions. These timing restrictions, or
in-water work windows, are designed to
protect fish species listed under the
Endangered Species Act (ESA) as well
as marine mammals under the MMPA.
No work would occur outside these
work windows unless necessary for the
safety and stability of the structure.
Work windows for the eight facilities
are described in Table 1. Pile driving
could occur on any day within in-water
work windows during the period of
validity of these proposed regulations.
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Facility
Period of no in-water work
Kodiak .............................................
Sitka ................................................
Ketchikan .........................................
Valdez .............................................
May 1–June 30 ..............................
March 1–October 1 ........................
April 1–June 30 .............................
March 1–October 1 ........................
Cordova ...........................................
March 1–October 1 ........................
Juneau .............................................
May 1–June 30 ..............................
Petersburg .......................................
Seward ............................................
April 1–June 30 .............................
May 1–June 30 ..............................
Notes
pink salmon fry and coho salmon smolts.
herring spawning and summer prey feeding.
outmigrating juvenile salmon.
herring spawning and summer prey feeding, whale presence, Steller
sea lion breeding.
herring spawning and summer prey feeding, whale presence, Steller
sea lion breeding.
pink and chum salmon fry and coho and Chinook salmon smolt,
hatchery net pen species.
outmigrating juvenile salmon.
pink salmon fry and coho salmon smolts.
For many projects the design details
are not known in advance; thus, it is not
possible to state the exact number of
pile driving days that will be required.
Days of pile driving at each site were
based on the estimated work days using
a slow production rate, i.e., one pile
removed per day and one pile installed
per day. These conservative rates give
the following estimates of total days at
each facility over the 5-year duration:
Kodiak: 100 days, Sitka: 50 days,
Ketchikan: 100 days, Valdez: 15 days,
Cordova: 6 days, Juneau: 100 days,
Petersburg: 20 days, and Seward: 4 days.
These totals include both removal and
installation of piles, and represent a
conservative estimate of pile driving
days at each facility. In a real
construction situation, pile driving
production rates would be maximized
when possible and actual daily
production rates may be higher,
resulting in fewer actual pile driving
days.
Figure 1—Location of the Eight
Facilities
the larger Chiniak Bay on the northeast
side of Kodiak Island, Alaska’s largest
island. Womens Bay is separated from
the rest of Chiniak Bay by Nyman
Peninsula providing a protected harbor
for Coast Guard vessels. Coast Guard
vessels are the primary users of Womens
Bay; however, a sea plane runway is
present at the mouth of the bay and
barges regularly transit Womens Bay.
Coast Guard Base Kodiak is located on
Womens Bay, a largely enclosed arm of
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Specified Geographical Region
The eight facilities are located within
the coastal waters of the Gulf of Alaska
(Figure 1). For full details regarding the
facilities and specified geographical
region, please see sections 1.3 and 2,
respectively, of the Coast Guard’s
application.
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TABLE 1—IN-WATER WORK WINDOWS FOR EACH FACILITY
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Two of the three piers (the Fuel Pier and
Cargo Wharf) at Base Kodiak need
periodic maintenance and repair, while
the Marginal Wharf is currently being
evaluated for demolition. Any actions
related to the Marginal Wharf would
occur under a separate action. Because
there is the potential for contaminated
sediments at this location, no pressure
washing will occur.
The Coast Guard’s Sitka Moorings are
located near Sitka Harbor on the Sitka
Channel separating Japonski Island from
the larger Baranof Island. The Sitka
Channel connects the Eastern
Anchorage southeast of Sitka to the
Western Anchorage northwest of the
town. Beyond Coast Guard vessels,
typical vessel traffic within the Sitka
Channel includes private watercraft,
commercial fishing vessels, and
seaplanes.
Base Ketchikan is situated on
Revillagigedo Island, which is separated
from nearby Pennock Island by the East
Channel of the Tongass Narrows. At
Base Ketchikan, the Tongass Narrows
are approximately 2,000 ft (610 meters
(m)) across with steep surface
bathymetry reaching a maximum midchannel depth of over 100 ft (30 m). The
Tongass Narrows are a busy passage
frequented by private and commercial
vehicles, including large cruise ships
servicing the cruise terminal in
Ketchikan (north of Base Ketchikan).
The Coast Guard’s Valdez moorings
are located west of the entrance to
Valdez Harbor located on Port Valdez,
itself part of the Valdez Arm of Prince
William Sound. Port Valdez is the U.S.’
northernmost ice-free port and nonCoast Guard vessel traffic in the
immediate vicinity of the Valdez
moorings includes private craft and
commercial cargo vessels. The Valdez
Marine Terminal is located 2.3 miles
(3.7 kilometers (km)) south of the
Valdez moorings and is the offshoring
point for petroleum products
transported via the Trans-Alaska
Pipeline, with corresponding oil tanker
traffic through the area. Depths adjacent
to the Valdez moorings fall off steeply
from approximately 13 ft (4 m) at the
entrance to Valdez Harbor to over 600
ft (183 m) along the centerline of the
Valdez Arm.
The dock used by the Coast Guard at
Cordova is owned by the City of
Cordova and is located on the Cordova
waterfront on Orca Inlet, which
separates the mainland from Hawkins
Island. Orca Inlet is generally shallow
reaching depths of 75 ft (23 m) at the
deepest parts of the channel with
significantly more shallow depths closer
to Hawkins and Observation Islands.
The Coast Guard wharf at Station
Juneau is on the southeast facing
portion of the Juneau waterfront on the
Gastineau Channel separating the North
American mainland (Juneau) from
Douglas Island. The Gastineau Channel
is accessible to large vessels up to the
bridge linking Douglas Island to the
mainland and navigable by smaller
vessels for its entire length. The
Channel is generally shallow in the
northern section but up to 35 ft (10.7 m)
deep adjacent to the wharf frontage and
up to 100 ft (30 m) in the mid-channel
south of Station Juneau.
The Coast Guard moorings in
Petersburg are located within Petersburg
Harbor, which supports the area’s
commercial fishing industry. Petersburg
is located at the northern end of the
Wrangell Narrows separating Mitkof and
Kupreanof Islands near the confluence
with the Frederick Sound. The Narrows
are generally only used by fishing boats
and Alaska Marine Highway ferries as it
is too shallow and narrow for use by
larger vessels. Depths adjacent to the
Petersburg Moorings are approximately
20 ft (6 m).
The dock used by the Coast Guard in
Seward is owned by the City of Seward
and is located within Seward Harbor.
The Seward Harbor breakwaters
separate the harbor and moorings from
the main body of Resurrection Bay.
Seward Harbor itself serves smaller
craft, with larger cruise ships and ferries
using facilities just east of the harbor.
Depths within the harbor, including the
harbor entrance, range between 12 and
15 ft (4–5 m).
Detailed Description of Activities
As described above, the Coast Guard
has requested incidental take
regulations for its maintenance and
repair program, which includes
maintenance and repair activities at
marine waterfront structures at eight
facilities within the Gulf of Alaska. In
order to address identified deficiencies
in existing marine structures at the 8
facilities, the Coast Guard proposes to
replace up to 245 structurally unsound
piles over the 5-year period using
methods including impact and vibratory
pile driving, and DTH to make holes.
Existing marine structures at the eight
facilities are described in detail in
section 6.8 of the Coast Guard’s
application and details of pile
maintenance and repair activity are
summarized in Table 2.
TABLE 2—IN-WATER MAINTENANCE ACTIVITY FOR EACH COAST GUARD FACILITY
Number and material of pile replacements
Facility
Year 1
Year 2
Year 3
Year 4
Year 5
20 timber * or steel .....
Replace 5 piles ..........
Replace 10–15 timber * piles.
Replace 1 timber * pile
20 timber * or steel .....
Replace 5 piles ..........
Replace 10–15 timber * piles.
Replace 1 timber * pile
20 timber * or steel .....
Replace 5 piles ..........
Replace 10–15 timber * piles.
Replace 1 timber * pile
20 timber * or steel .....
Replace 5 piles ..........
Replace 10–15 timber * piles.
Replace 1 timber * pile
100.
25 piles replaced.
50 piles replaced.
Replace 3 steel piles
Replace 10 timber *
piles.
Replace 2 fender piles
....................................
Replace 10 timber *
piles.
Replace 2 fender piles
....................................
Replace 10 timber *
piles.
Replace 2 fender piles
3 piles replaced.
50 piles replaced.
Petersburg ** ..
....................................
Replace 10 timber *
piles.
Replace 2 fender piles
20 timber * or steel .....
Replace 5 piles ..........
Replace 10–15 timber * piles.
Replace 1 timber *
pile, replace 1 steel
guide pile.
....................................
Replace 10 timber *
piles.
Replace 2 fender piles
Seward ...........
Total Replaced
....................................
53 ...............................
....................................
56 ...............................
Replace 1 steel pile ...
53 ...............................
....................................
54 ...............................
....................................
52 ...............................
Kodiak ............
Sitka ** ............
Ketchikan ** ....
Valdez ** .........
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Cordova ..........
Juneau ** ........
Maximum total
6 piles replaced.
10 fender piles replaced.
1 pile replaced.
245 piles replaced.***
* Timber piles will be preferentially replaced with composite piles where technically possible.
** These facilities will also conduct pile repairs; see text for full description of repair methods.
*** Yearly pile numbers may add up to be larger than the number reported here to allow for flexibility between years. Piles replaced may not exceed yearly maximum totals.
The project includes pile repair,
extraction, and installation, all of which
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may be accomplished through a variety
of methods. However, only extraction
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and installation using DTH equipment
and vibratory and impact pile drivers
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are expected to have the potential to
result in incidental take of marine
mammals. Pile repair methods include
sleeve or jacket replacement, pressure
washing, rub strip and ladder
replacement, wrapping, pile
encapsulation, painting, coating, and
replacement of treated wood decking.
These processes do not involve pile
driving or long durations of other loud
sound sources and are not expected to
have the potential to result in incidental
take of marine mammals. Pile removal
may be accomplished via mechanical
methods such as clipping, clamshell
removal, or direct pull. Noise levels
produced through these activities are
not expected to exceed baseline levels
produced by other routine activities and
operations at the eight facilities, and any
elevated noise levels produced through
these activities are expected to produce
intermittent (and generally continuous)
noise, be of short duration, or of low
peak values. Therefore, only DTH,
vibratory, and impact pile driving are
carried forward for further analysis.
Vibratory hammers, which can be
used to either install or extract a pile,
contain a system of counter-rotating
eccentric weights powered by hydraulic
motors, and are designed in such a way
that horizontal vibrations cancel out,
while vertical vibrations are transmitted
into the pile. The pile driving machine
is lifted and positioned over the pile by
means of an excavator or crane, and is
fastened to the pile by a clamp and/or
bolts. The vibrations produced cause
liquefaction of the substrate
surrounding the pile, enabling the pile
to be extracted or driven into the ground
using the weight of the pile plus the
hammer.
Impact hammers use a rising and
falling piston to repeatedly strike a pile
and drive it into the ground. Steam,
hydraulic and pneumatic hammers use
compressed fluids to create the force to
raise or drive a piston weight. A diesel
hammer works much like a car engine
with fuel injected into a combustion
chamber where the fuel is then ignited
and the force of the explosion drives a
piston, which pushes the pile down
with great force.
DTH systems create holes by
combining impact forces from a
hydraulically or pneumatically
controlled piston and hammer that
directly impact the substrate along with
a rotating drill function, aided by an
intricate series of rock cutting bits on
the end of the hammer.
Steel piles are typically vibratorydriven for their initial embedment
depths or to refusal and finished with
an impact hammer for proofing or until
the pile meets structural requirements,
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as necessary. Where structural
requirements necessitate stronger
support piles may need to be driven into
bedrock substrates. DTH systems are
used for this purpose. Proofing involves
striking a driven pile with an impact
hammer to verify that it provides the
required load-bearing capacity, as
indicated by the number of hammer
blows per foot of pile advancement.
Non-steel piles (concrete, timber,
composite) are typically impact-driven
for their entire embedment depth, in
part because non-steel piles are often
displacement piles (as opposed to pipe
piles) and require some impact to allow
substrate penetration. Pile installation
can range from under one minute to 60
minutes depending on pile type, pile
size, and conditions (i.e., bedrock, loose
soils, etc.) to reach the required tip
elevation. DTH can typically take
multiple hours depending on the
equipment, rock hardness, and required
hole depth, though the process is
dynamic and driving is not continuous.
The most effective and efficient
method of pile driving available would
be implemented in each case. The
method fitting these criteria may vary
based on specific project requirements
and local conditions. Impact driving,
while generally producing higher levels
of sound, also minimizes the net
amount of active driving time, thus
reducing the amount of time during
which marine mammals may be
exposed to noise. Impact, DTH, or
vibratory pile driving could occur on
any day but would not occur
simultaneously. Location-specific pile
totals are given in Table 2 and described
below. These totals assume a 1:1
replacement ratio; however, the actual
number installed may result in a
replacement ratio of less than 1:1.
Steel, concrete, timber, and composite
piles will all be a maximum of 24-inch
(0.61 m) diameter. For purposes of
analysis, it is assumed that any
unknown pile type would be steel, since
this would give a worst-case scenario in
terms of loudest noise levels produced.
All concrete, composite, and timber
piles are assumed to be installed
entirely by impact pile driver, and all
steel piles are assumed to require some
use of an impact driver. This is a
conservative assumption, as all steel
piles would be initially driven with a
vibratory driver until they reach a point
of refusal (where substrate conditions
make use of a vibratory hammer
ineffective) or engineering specifications
require impact driving to verify loadbearing capacity. Therefore, some steel
piles may not in fact require use of the
impact driver during installation. DTH
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will only be used at Ketchikan and
Kodiak.
At this time, of the 245 piles expected
to be extracted, 5 have been identified
as steel piles (3 at Cordova, 1 each at
Seward and Valdez) and 106 as timber
piles (50 each at Ketchikan and Juneau,
5 at Valdez, and 1 at Seward). The
remaining piles have not been identified
to type and so for analysis will be
considered to be steel, typically the
loudest type. Replacement will often be
of the same type, but could include
different materials, though diameters
will generally be the same.
Replacements for extracted timber piles
will typically be composite piles of
similar diameter.
Pile driving could occur on any work
day within in-water work windows
during the period of validity of these
proposed regulations. Proposed
mitigation, monitoring, and reporting
measures are described in detail later in
this document (please see Proposed
Mitigation and Proposed Monitoring
and Reporting).
Description of Marine Mammals in the
Area of the Specified Activity
We have reviewed the Coast Guard’s
species descriptions that summarize
available information regarding status
and trends, distribution and habitat
preferences, behavior and life history,
and auditory capabilities of the
potentially affected species, for accuracy
and completeness and refer the reader to
Sections 3 and 4 of the application,
instead of reprinting all of the
information here. Additional
information regarding population trends
and threats may be found in NMFS’
Stock Assessment Reports (SAR;
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’
website (www.fisheries.noaa.gov/findspecies).
Table 3 lists all species or stocks for
which take is expected and proposed to
be authorized for this action and
summarizes information related to the
population or stock, including
regulatory status under the MMPA and
ESA and potential biological removal
(PBR), where known. PBR, 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, is
considered in concert with known
sources of ongoing anthropogenic
mortality (as described in NMFS’ SARs).
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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’ 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 the specified geographical
regions are assessed in either NMFS’
U.S. Alaska SARs or U.S. Pacific SARs.
All values presented in Table 3 are the
most recent available at the time of
writing and are available in the draft
2022 SARs (available online at: https://
www.fisheries.noaa.gov/national/
marine-mammal-protection/marinemammal-stock-assessment-reportsspecies-stock).
TABLE 3—SPECIES LIKELY IMPACTED BY THE SPECIFIED ACTIVITIES
Common name
Scientific name
ESA/
MMPA
status;
strategic
(Y/N) 1
Stock
Stock abundance
(CV, Nmin, most recent
abundance survey) 2
Annual
M/SI 3
PBR
Order Cetartiodactyla—Cetacea—Superfamily Mysticeti (baleen whales)
Family Eschrichtiidae:
Gray whale .......................
Family Balaenopteridae
(rorquals):
Humpback whale ..............
Fin whale ..........................
Minke whale .....................
Eschrichtius robustus .............
Eastern North Pacific .............
-, -, N
26,960 (0.05, 25,849, 2016) ..
801
131
Megaptera novaeangliae ........
Central North Pacific ..............
Western North Pacific ............
Northeast Pacific ....................
Alaska .....................................
-, -, Y
E, D, Y
E, D, Y
-, -, N
10,103 (0.30, 7,891, 2006) ....
1,107, (0.30, 865, 2006) ........
UND (UND, UND, 2013) ........
N/A (N/A, N/A, N/A) 4 .............
83
3
UND
UND
26
2.8
0.6
0
Balaenoptera physalus ...........
Balaenoptera acutorostrata ....
Superfamily Odontoceti (toothed whales, dolphins, and porpoises)
Family Delphinidae:
Killer whale .......................
Pacific white-sided dolphin
Family Phocoenidae (porpoises):
Dall’s porpoise 5 ...............
Harbor porpoise 6 .............
Orcinus orca ...........................
Lagenorhynchus obliquidens
Phocoenoides dalli .................
Phocoena phocoena ..............
Eastern North Pacific Alaska
Resident.
Eastern North Pacific Gulf of
Alaska, Aleutian Islands,
Bearing Sea Transient.
Eastern North Pacific Northern Resident.
AT1 Transient .........................
West Coast Transient ............
North Pacific ...........................
Alaska .....................................
Southeast Alaska ...................
Gulf of Alaska .........................
-, -, N
1,920 (N/A, 1,920, 2009) .......
19
1.3
-, -, N
587 (N/A, 587, 2012) .............
5.9
0.8
-, -, N
302 (N/A, 302, 2018) .............
2.2
0.2
-, D, Y
-, -, N
-, -, N
7 (N/A, 7, 2019) .....................
349 (N/A, 349, 2018) .............
26,880 (UND, UND, 1990) .....
0.1
3.5
UND
0
0.4
0
-, -, N
-, -, Y
-, -, Y
UND (UND, UND, 2015) ........
1,302 (0.21, 1,057, 2019) ......
31,046 (0.21, N/A, 1998) .......
UND
11
UND
37
34
72
Order Carnivora—Superfamily Pinnipedia
Family Otariidae (eared seals
and sea lions):
California sea lion ............
Northern fur seal ..............
Steller sea lion .................
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Family Phocidae (earless
seals):
Harbor seal .......................
Zalophus californianus ...........
Callorhinus ursinus .................
Eumetopias jubatus ................
Eumetopias jubatus ................
U.S .........................................
Eastern Pacific .......................
Eastern ...................................
Western ..................................
-, -, N
-, D, Y
-,-, N
E, D, Y
257,606 (N/A, 233,515, 2014)
626,618 (0.2, 530,376, 2019)
43,201 (N/A, 43,201, 2017) ...
52,932 (N/A, 52,932, 2019) ...
14,011
11,403
2,592
318
>321
373
112
254
Phoca vitulina .........................
Prince William Sound .............
Lynn Canal/Stephens Passage.
Sitka/Chatham Straight ..........
Clarence Strait .......................
South Kodiak ..........................
-, -, N
-, -, N
44,756 (N/A, 41,776, 2015) ...
13,388 (N/A, 11,867, 2016) ...
1,253
214
413
50
-, -, N
-, -, N
-, -, N
13,289 (N/A, 11,883, 2015) ...
27,659 (N/A, 24,854, 2015) ...
26,448 (N/A, 22,351, 2017) ...
356
746
939
77
40
127
1 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: https://www.fisheries.noaa.gov/national/marine-mammal-protection/marine-mammal-stock-assessments/. CV is coefficient of variation; Nmin is the minimum estimate of stock abundance. In some cases, CV is not applicable (N/A). UND indicates data unavailable.
3 These values, found in NMFS’ SARs, represent annual levels of human-caused mortality plus serious injury (M/SI) from all sources combined (e.g., commercial
fisheries, ship strike). Annual M/SI often cannot be determined precisely and is in some cases presented as a minimum value or range. A CV associated with estimated mortality due to commercial fisheries is presented in some cases.
4 No population estimates have been made for the number of minke whales in the entire North Pacific. Some information is available on the numbers of minke
whales in some areas of Alaska, but in the 2009, 2013, and 2015 offshore surveys, so few minke whales were seen during the surveys that a population estimate for
the species in this area could not be determined (Rone et al., 2017). Therefore, this information is N/A (not available).
5 Previous abundance estimates covering the entire stock’s range are no longer considered reliable and the current estimates presented in the SARs and reported
here only cover a portion of the stock’s range. Therefore, the calculated Nmin and PBR is based on the 2015 survey of only a small portion of the stock’s range. PBR
is considered to be biased low since it is based on the whole stock whereas the estimate of mortality and serious injury is for the entire stock’s range.
6 Abundance estimates assumed that detection probability on the trackline was perfect; work is underway on a corrected estimate. Additionally, preliminary data results based on environmental DNA analysis show genetic differentiation between harbor porpoise in the northern and southern regions on the inland waters of southeast Alaska. Geographic delineation is not yet known. Data to evaluate population structure for harbor porpoise in Southeast Alaska have been collected and are currently being analyzed. Should the analysis identify different population structure than is currently reflected in the Alaska SARs, NMFS will consider how to best revise
stock designations in the future.
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Twelve species (with 23 managed
stocks) are considered to have the
potential to co-occur with Coast Guard
activities to the degree that take is likely
to occur. Table 4 identifies which stocks
are expected to occur near each of the
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Coast Guard facilities. There are several
species or stocks that occur in Gulf of
Alaska waters, but which are not
expected to occur in the vicinity of any
of the eight Coast Guard facilities. In
addition, the sea otter is found in
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coastal waters. However, sea otters are
managed by the U.S. Fish and Wildlife
Service and are not considered further
in this document.
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As indicated above, all 12 species
(and 23 managed stocks) in Table 3
temporally and spatially co-occur with
the activity to the degree that take is
reasonably likely to occur, and we have
proposed authorizing it. While Cuvier’s
beaked whales have been reported near
all eight project areas, the spatial
occurrence of this species generally
offshore in deep water is such that take
is not expected to occur, and it is not
discussed further beyond the
explanation provided here.
Gray Whale
Gray whales occur exclusively in the
North Pacific Ocean. The Eastern North
Pacific stock of gray whales inhabit
California and Mexico in the winter
months, and the Chukchi, Beaufort, and
Bering Seas in northern Alaska in the
summer and fall. Gray whales have also
been observed feeding in waters off
Southeast Alaska during the summer
(NMFS, 2022). The migration pattern of
gray whales appears to follow a route
along the western coast of Southeast
Alaska, traveling northward from British
Columbia through Hecate Strait and
Dixon Entrance, passing the west coast
of Baranof Island from late March to
May and then return south in October
and November (Jones et al., 1984, Ford
et al., 2012).
Two populations of gray whales are
recognized, the eastern and a western
North Pacific (ENP and WNP). WNP
whales are known to feed in the
Okhotsk Sea and off of Kamchatka
before migrating south to poorly known
wintering grounds, possibly in the
South China Sea. The two populations
have historically been considered
geographically isolated from each other;
however, data from satellite-tracked
whales indicate that there is some
overlap between the stocks. Two WNP
whales were tracked from Russian
foraging areas along the Pacific rim to
Baja California (Mate et al., 2011), and,
in one case where the satellite tag
remained attached to the whale for a
longer period, a WNP whale was tracked
from Russia to Mexico and back again
(IWC, 2012). Between 22–24 WNP
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whales are known to have occurred in
the eastern Pacific through comparisons
of ENP and WNP photo-identification
catalogs (IWC, 2012; Weller et al., 2011;
Burdin et al., 2011). Urban et al. (2013)
compared catalogs of photo-identified
individuals from Mexico with
photographs of whales off Russia and
reported a total of 21 matches.
Therefore, a portion of the WNP
population is assumed to migrate, at
least in some years, to the eastern
Pacific during the winter breeding
season. However, it is extremely
unlikely that a gray whale in close
proximity to Coast Guard construction
activity would be one of the few WNP
whales that have been documented in
the eastern Pacific. The likelihood that
a WNP whale would be present in the
vicinity of Coast Guard construction
activities at all locations is insignificant
and discountable, and WNP gray whales
are omitted from further analysis.
Kodiak, Sitka, and Juneau are within
a gray whale migratory corridor
Biologically Important Area (BIA)
(Ferguson et al., 2015).
Humpback Whale
Humpback whales are the most
commonly observed baleen whale in
Alaska and have been observed in
Southeast Alaska in all months of the
year (Baker et al., 1986). They undergo
seasonal migration with more whales
present in Alaska from spring until fall.
There are two potential stocks of
humpback whales that may occur in the
project area: the Central North Pacific
stock and the Western North Pacific
stock. The Central North Pacific stock
consists of winter/spring populations of
the Hawaiian Islands and Mexico,
which migrate primarily to northern
British Columbia/Southeast Alaska, the
Gulf of Alaska, and the Bering Sea/
Aleutian Islands (Baker et al., 1990;
Perry et al., 1990; Calambokidis et al.,
1997). The Western North Pacific stock
consists of winter/spring populations off
Asia, which migrate primarily to Russia
and the Bering Sea/Aleutian Islands.
Members of the Western North Pacific
stock have the potential to occur at Base
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Kodiak and in the vicinity of Seward
moorings, whereas members of the
Central North Pacific stock have the
potential to occur at any of the eight
facilities.
Prior to 2016, humpback whales were
listed under the ESA as an endangered
species worldwide. Following a 2015
global status review (Bettridge et al.,
2015), NMFS established 14 DPSs with
different listing statuses (81 FR 62259,
September 8, 2016) pursuant to the ESA.
The DPSs that occur in U.S. waters do
not necessarily equate to the existing
stocks designated under the MMPA and
shown in Table 3. Because MMPA
stocks cannot be portioned, i.e., parts
managed as ESA-listed while other parts
managed as not ESA-listed, until such
time as the MMPA stock delineations
are reviewed in light of the DPS
designations, NMFS considers the
existing humpback whale stocks under
the MMPA to be endangered and
depleted for MMPA management
purposes.
Within Alaska waters, three current
DPSs may occur: the Hawaii DPS (not
listed), the Western North Pacific DPS
(endangered), and the Mexico DPS
(threatened). Humpback whales found
in the project areas are predominantly
members of the Hawaii DPS (98 percent
probability in Southeast Alaska (Sitka,
Ketchikan, Juneau, and Petersburg
sites), 89 percent in the Gulf of Alaska
(Kodiak, Seward, Valdez, and Cordova
sites), and 91 percent in the Aleutian
Islands), which is not listed under the
ESA. However, based on a
comprehensive photo-identification
study, members of the Mexico DPS,
which is listed as threatened, have a
small potential to occur in all project
locations (2 percent probability in
Southeast Alaska, 11 percent in Gulf of
Alaska, and 7 percent in the Aleutian
Islands), and members of the Western
North Pacific DPS have a small potential
to occur in the Aleutian Islands (2
percent probability) and the Gulf of
Alaska (1 percent probability) (Wade
2021).
On January 24, 2023, NMFS
published the draft 2022 SARs (https://
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www.fisheries.noaa.gov/national/
marine-mammal-protection/marinemammal-stock-assessment-reportsregion). The Alaska and Pacific Ocean
SARs include proposed updates to the
humpback whale and harbor porpoise
stock structures. The new humpback
whale stock structure, if finalized,
would modify the MMPA-designated
stocks to align more closely with the
ESA-designated DPSs. The new harbor
porpoise stock structure, if finalized,
would split the Southeast Alaska stock
into three new stocks. Please refer to the
draft 2022 Alaska (Young et al., 2023)
and Pacific Ocean SARs for additional
information.
NMFS’ Office of Protected Resources,
Permits and Conservation Division has
generally considered peer-reviewed data
in draft SARs (relative to data provided
in the most recent final SARs), when
available, as the best available science,
and has done so in this proposed rule
for all species and stocks, with the
exception of a new proposal to revise
humpback whale and harbor porpoise
stock structures. Given that the
proposed changes involve application of
NMFS’ Guidance for Assessing Marine
Mammals Stocks and could be revised
following consideration of public
comments, it is more appropriate to
conduct our analysis in this proposed
rule based on the status quo stock
structure identified in the most recent
final SARs (2021; Carretta et al., 2022;
Muto et al., 2022).
Critical habitat was recently finalized
for the humpback whale in Alaska (86
FR 21082, April 21, 2021). Designated
critical habitat for the Western North
Pacific and Mexico DPSs overlaps
Kodiak Island; Cordova and Valdez are
located near, but not within, critical
habitat for the Mexico DPS. Kodiak,
Sitka, Juneau, and Petersburg are within
seasonal humpback whale feeding BIAs
(Ferguson et al., 2015).
Fin Whale
The fin whale is widely distributed in
all the world’s oceans (Gambell, 1985),
but typically occurs in temperate and
polar regions from 20–70° north and
south of the Equator (Perry et al., 1999).
Fin whales occur in coastal, shelf, and
oceanic waters. Sergeant (1977)
suggested that fin whales tend to follow
steep slope contours, either because
they detect them readily or because
biological productivity is high along
steep contours because of mixing.
Stafford et al. (2009) noted that seasurface temperature is a good predictor
variable for fin whale call detections in
the North Pacific.
Fin whales appear to have complex
seasonal movements and are seasonal
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migrants; they mate and calve in
temperate waters during the winter and
migrate to feed at northern latitudes
during the summer (Gambell, 1985). The
North Pacific population summers from
the Chukchi Sea to California and
winters from California southwards
(Gambell, 1985). Aggregations of fin
whales are found year-round off
southern and central California (Dohl et
al., 1980, 1983; Forney et al., 1995;
Barlow, 1997) and in the summer off
Oregon (Green et al., 1992; Edwards et
al., 2015). Diet for the fin whale varies
by location and availability, but
includes primarily krill, large copepods,
some small squid, and small schooling
fish (Cooke, 2018). Much of foraging
occurs in spring, summer, and fall, with
fasting or minimal feeding occurring
during winter. Fin whales are generally
solitary but can also occur in groups of
two to seven individuals. Larger
aggregations are usually due to
gatherings at concentrated food sources
and individuals display no social bonds
(Wiles, 2017). The project site in Kodiak
is just outside the fin whale feeding
BIA, which cuts off at the mouth of
Chiniak Bay where Base Kodiak is
located.
Minke Whale
Minke whales are found throughout
the northern hemisphere in polar,
temperate, and tropical waters. The
International Whaling Commission has
identified three minke whale stocks in
the North Pacific: one near the Sea of
Japan, a second in the rest of the
western Pacific (west of 180° W), and a
third, less concentrated stock
throughout the eastern Pacific. NMFS
further splits this third stock between
Alaska whales and resident whales of
California, Oregon, and Washington
(Muto et al., 2018). Minke whales are
found in all Alaska waters, however no
population estimates are currently
available for the Alaska stock.
In Alaska, minke whales feed
primarily on euphausiids and walleye
pollock. Minke whales are generally
found in shallow, coastal waters within
200 m (656 ft) of shore (Zerbini et al.,
2006). Dedicated surveys for cetaceans
in southeast Alaska found that minke
whales were scattered throughout
inland waters from Glacier Bay and Icy
Strait to Clarence Strait, with small
concentrations near the entrance of
Glacier Bay. Surveys took place in
spring, summer, and fall, and minke
whales were present in low numbers in
all seasons and years (Dahlheim et al.,
2009). Additionally, minke whales were
observed during the Biorka Island Dock
Replacement Project at the mouth of
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Sitka Sound (Turnagain Marine
Construction, 2018).
Killer Whale
Killer whales have been observed in
all oceans, but the highest densities
occur in colder and more productive
waters found at high latitudes. Killer
whales occur along the entire coast of
Alaska (Braham and Dahlheim, 1982),
inland waterways of British Columbia
and Washington (Bigg et al., 1990), and
along the outer coasts of Washington,
Oregon, and California (Green et al.,
1992; Barlow, 1995, 1997; Forney et al.,
1995). Eight stocks of killer whales are
recognized within the Pacific U.S.
Exclusive Economic Zone (Muto et al.,
2020). Of those, five stocks may be
present in the project areas as follows:
(1) Alaska Resident stock—All project
locations; (2) AT1 Transient stock—
Cordova, Valdez, and Seward; (3) Gulf
of Alaska, Aleutian Islands, and Bering
Sea Transient stock—Kodiak, Sitka,
Valdez, Cordova, and Seward; (4)
Northern Resident—Juneau, Sitka,
Petersburg, and Ketchikan; and (5) West
Coast Transient stock—Juneau, Sitka,
Petersburg, and Ketchikan. Table 4
outlines where each stock is expected to
overlap with each project location.
Transient killer whales hunt and feed
primarily on marine mammals,
including harbor seals, Dall’s porpoises,
harbor porpoises, and sea lions.
Resident killer whale populations in the
eastern North Pacific feed mainly on
salmonids, showing a strong preference
for Chinook salmon (Muto et al., 2020).
The Alaska Resident stock occurs
from southeast Alaska to the Aleutian
Islands and Bering Sea. The Northern
Resident stock occurs from Washington
north through part of southeast Alaska.
The Gulf of Alaska, Aleutian Islands,
and Bering Sea Transient stock occurs
from the northern British Columbia
coast to the Aleutian Islands and Bering
Sea. The AT1 Transient stock occurs
only in Prince William Sound and in
the Kenai Fjords region. The West Coast
Transient stock occurs from California
north through southeast Alaska (Muto et
al., 2020).
Dahlheim et al., (2009) noted a 5.2
percent annual decline in transient
killer whales observed in southeast
Alaska between 1991 and 2007. Both
resident and transient killer whales
were observed in southeast Alaska
during all seasons during surveys
between 1991 and 2007, in a variety of
habitats and in all major waterways,
including Lynn Canal, Icy Strait,
Stephens Passage, Frederick Sound, and
upper Chatham Strait (Dahlheim et al.,
2009). There does not appear to be
strong seasonal variation in abundance
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or distribution of killer whales, but
Dahlheim et al. (2009) observed
substantial variability among different
years.
Members of the fish-eating resident
stocks are the most commonly seen in
nearshore waters with members of the
Alaska Resident stock having the
potential to occur at any of the facilities
while Northern Resident individuals
have the potential to occur at all of the
facilities except Base Ketchikan which
is south of their expected range (Muto
et al., 2020). Transient killer whales of
the Gulf of Alaska, Aleutian Islands, and
Bering Sea stock have the potential to
occur at all facilities except those
facilities along the Inside Passage (i.e.,
Base Ketchikan, Petersburg Moorings,
and Station Juneau). Southeast Alaska is
at the northern limit of the West Coast
Transient stock and individuals of this
population are only anticipated to
appear at Station Sitka, Base Ketchikan,
Station Juneau, and Petersburg
Moorings.
Pacific White-Sided Dolphin
The Pacific white-sided dolphin is
found in cool temperate waters of the
North Pacific from the southern Gulf of
California to Alaska. Across the North
Pacific, it appears to have a relatively
narrow distribution between 38° N and
47° N (Brownell et al., 1999). In the
eastern North Pacific Ocean, the Pacific
white-sided dolphin is one of the most
common cetacean species, occurring
primarily in shelf and slope waters
(Green et al., 1993; Barlow 2003, 2010).
Results of aerial and shipboard
surveys strongly suggest seasonal northsouth movements of the species
between California and Oregon/
Washington; the movements apparently
are related to oceanographic influences,
particularly water temperature (Green et
al., 1993; Forney and Barlow, 1998;
Buchanan et al., 2001). During winter,
this species is most abundant in
California slope and offshore areas; as
northern waters begin to warm in the
spring, it appears to move north to slope
and offshore waters off Oregon/
Washington (Green et al., 1992, 1993;
Forney et al., 1995; Buchanan et al.,
2001; Barlow 2003).
Pacific white-sided dolphins are
highly gregarious with groups usually
between 10 and 100 animals but ranging
up to the thousands.
Dall’s Porpoise
Dall’s porpoise is found in temperate
to subarctic waters of the North Pacific
and adjacent seas (Jefferson et al., 2015).
It is widely distributed across the North
Pacific over the continental shelf and
slope waters, and over deep (2500 m
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and greater) oceanic waters (Hall, 1979).
It is probably the most abundant small
cetacean in the North Pacific Ocean, and
its abundance changes seasonally, likely
in relation to water temperature (Becker,
2007). They occur in groups of up to 25
individuals and are expected to occur at
all eight facilities.
Harbor Porpoise
Harbor porpoise are common in
coastal waters. They frequently occur in
coastal waters of southeast Alaska and
are observed most frequently in waters
less than 350 ft (107 m) deep (Dahlheim
et al., 2009). There are three harbor
porpoise stocks in Alaska: (1) The
Southeast Alaska stock occurs from
Dixon Entrance to Cape Suckling,
including inland waters; (2) The Gulf of
Alaska stock occurs from Cape Suckling
to Unimak Pass; and (3) The Bering Sea
stock occurs throughout the Aleutian
Islands and all waters north of Unimak
Pass (Muto et al., 2021). Only the
Southeast Alaska stock and the Gulf of
Alaska stock are expected to be
encountered throughout all project sites.
The Southeast Alaska stock’s range
includes the Sitka, Ketchikan, Juneau,
and Petersburg facilities, while the Gulf
of Alaska stock range includes the
Kodiak, Valdez, Seward, and Cordova
facilities.
California Sea Lion
The primary range of the California
sea lion includes the coastal areas and
offshore islands of the eastern North
Pacific Ocean from British Columbia to
central Mexico, including the Gulf of
California (Jefferson et al., 2015).
However, its distribution is expanding
(Jefferson et al., 2015), and its secondary
range extends into the Gulf of Alaska
(Maniscalco et al., 2004) and southern
Mexico (Gallo-Reynoso and Solo´rzanoVelasco, 1991).
In California and Baja California,
births occur on land from mid-May to
late-June. During August and
September, after the mating season, the
adult males migrate northward to
feeding areas (Lowry et al., 1992). They
remain there until spring (March-May),
when they migrate back to the breeding
colonies (Lowry et al., 1992; Weise et
al., 2006). The distribution of immature
California sea lions is less well known
but some make northward migrations
that are shorter in length than the
migrations of adult males (Huber, 1991).
However, most immature seals are
presumed to remain near the rookeries
for most of the year, as are females and
pups (Lowry et al., 1992).
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Northern Fur Seal
The northern fur seal is endemic to
the North Pacific Ocean and occurs from
southern California to the Bering Sea,
Sea of Okhotsk, and Sea of Japan
(Jefferson et al., 2015). The worldwide
population of northern fur seals has
declined substantially from 1.8 million
animals in the 1950s (Muto et al., 2020).
They were subjected to large-scale
harvests on the Pribilof Islands to
supply a lucrative fur trade. Two stocks
are recognized in U.S. waters: The
Eastern North Pacific and the California
stocks. The Eastern Pacific stock ranges
from southern California during winter
to the Pribilof Islands and Bogoslof
Island in the Bering Sea during summer
(Carretta et al., 2020; Muto et al., 2020).
Abundance of the Eastern Pacific Stock
has been decreasing at the Pribilof
Islands since the 1940s and increasing
on Bogoslof Island. The northern fur
seal population appears to be greatly
affected by El Nin˜o events.
Most northern fur seals are highly
migratory. During the breeding season,
most of the world’s population of
northern fur seals occurs on the Pribilof
and Bogoslof islands (NMFS 2007). The
main breeding season is in July (Gentry,
2009). Adult males usually occur
onshore from May to August, though
some may be present until November;
females are usually found ashore from
June to November (Muto et al., 2020).
Nearly all fur seals from the Pribilof
Island rookeries are foraging at sea from
fall through late spring. In November,
females and pups leave the Pribilof
Islands and migrate through the Gulf of
Alaska to feeding areas primarily off the
coasts of British Columbia, Washington,
Oregon, and California before migrating
north again to the rookeries in spring
(Ream et al., 2005; Pelland et al., 2014).
Immature seals can remain at sea in
southern foraging areas year-round until
they are old enough to mate (Muto et al.,
2022). Adult males migrate only as far
south as the Gulf of Alaska or to the
west off the Kuril Islands (Kajimura,
1984).
The northern fur seal spends
approximately 90 percent of its time at
sea, typically in areas of upwelling
along the continental slopes and over
seamounts (Gentry, 1981). The
remainder of its life is spent on or near
rookery islands or haulouts. While at
sea, northern fur seals usually occur
singly or in pairs, although larger groups
can form in waters rich with prey
(Antonelis and Fiscus, 1980; Gentry,
1981). Northern fur seals dive to
relatively shallow depths to feed: 100–
200 m for females, and <400 m for males
(Gentry, 2009). Tagged adult female fur
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seals were shown to remain within 200
km of the shelf break (Pelland et al.,
2014).
Steller Sea Lion
The Steller sea lion’s range extends
across the North Pacific Rim from
northern Japan to California with areas
of abundance in the Gulf of Alaska and
Aleutian Islands (Muto et al., 2020). In
1997, based on demographic and genetic
dissimilarities, NMFS identified two
DPSs of Steller sea lions under the ESA:
a western DPS (western stock) and an
eastern DPS (eastern stock). The western
DPS breeds on rookeries located west of
144° W in Alaska and Russia, whereas
the eastern DPS breeds on rookeries in
southeast Alaska through California.
Movement occurs between the
western and eastern DPS of Steller sea
lions, and increasing numbers of
individuals from the western DPS have
been seen in Southeast Alaska in recent
years (Muto et al., 2020, Fritz et al.,
2016; DeMaster, 2014). This DPSexchange is especially evident in the
outer southeast coast of Alaska,
including Sitka Sound. The distribution
of marked animals (along with other
demographic data) indicates that
movements of Steller sea lions during
the breeding season result in a small net
annual movement of animals from
southeast Alaska (eastern DPS) to the
western DPS (approximately 80 sea
lions total) but a much larger interregional movement between the western
DPS and the eastern DPS
(approximately 1,000 sea lions per year;
Fritz et al., 2016). Hastings et al. (2020)
indicates that the eastern population is
increasing while the western population
is decreasing, influencing mixing of
both populations at new rookeries in
northern southeast Alaska. They
estimate 38 percent and 13 percent of
animals in the northern outer coast from
the Glacier Bay and Lynn Canal in
southeast Alaska carry genetic
information unique to the western
population.
Critical habitat has been defined in
Alaska at major haulouts and major
rookeries (50 CFR 226.202), but the
project action areas do not overlap with
Steller sea lion critical habitat.
Additionally, no in-water work will
occur from March 1 through October 1
at Valdez and Cordova to avoid overlap
with Steller sea lion breeding season.
Harbor Seal
Harbor seals are common in the
coastal and inside waters of the project
areas. Harbor seals in Alaska are
typically non-migratory with local
movements attributed to factors such as
prey availability, weather, and
reproduction (Scheffer and Slipp, 1944;
Fisher, 1952; Bigg 1969, 1981; Hastings
et al., 2004). Harbor seals haul out of the
water periodically to rest, give birth,
and nurse their pups. According to the
NMFS Alaska Fisheries Science Center
(AFSC, 2021) there is one haulout near
Valdez (HG08A), and one near Cordova
(GG08D) that are within direct line of
sight and that could be exposed in larger
Level B harassment zones (see below).
There are 12 stocks of harbor seals in
Alaska, 5 of which occur in the project
areas: (1) the South Kodiak stock ranges
from Middle Cape on the west coast of
Kodiak Island southwest to Chirikof
Island and east along the south coast of
Kodiak Island to Spruce Island; (2) the
Prince William Sound stock ranges from
Elizabeth Island off the southwest tip of
the Kenai Peninsula to Cape
Fairweather; (3) the Lynn Canal/
Stephens Passage stock ranges north
along the east and north coast of
Admiralty Island from the north end of
Kupreanof Island through Lynn Canal;
(4) the Sitka/Chatham Strait stock
ranges from Cape Bingham south to
Cape Ommaney, extending inland to
Table Bay on the west side of Kuiu
Island and north through Chatham Strait
to Cube Point off the west coast of
Admiralty Island, and as far east as Cape
Bendel on the northeast tip of
Kupreanof Island; and (5) the Clarence
Strait stock ranges along the east coast
of Prince of Wales Island from Cape
Chacon north through Clarence Strait to
Point Baker and along the east coast of
Mitkof and Kupreanof Islands north to
Bay Point.
Unusual Mortality Events (UME)
A UME is defined under the MMPA
as ‘‘a stranding that is unexpected;
involves a significant die-off of any
marine mammal population; and
demands immediate response.’’ The
only currently ongoing UME
investigation involves gray whales
(https://www.fisheries.noaa.gov/
national/marine-life-distress/2019-2021gray-whale-unusual-mortality-eventalong-west-coast-and. Beginning in
early 2019, elevated strandings were
observed along the west coast, with the
majority of strandings in Alaska.
Findings to date indicate that the
whales are often emaciated but a cause
of the UME has not been determined.
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. Current data indicate
that 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)
recommended that marine mammals be
divided into functional hearing groups
based on directly measured or estimated
hearing ranges on the basis of available
behavioral response data, audiograms
derived using auditory evoked potential
techniques, anatomical modeling, and
other data. Note that no direct
measurements of hearing ability have
been successfully completed for
mysticetes (i.e., low-frequency
cetaceans). Subsequently, NMFS (2016)
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 an
exception for lower limits for lowfrequency cetaceans where the result
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) .......................................................................................................................
7 Hz to 35 kHz.
150 Hz to 160 kHz.
275 Hz to 160 kHz.
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50 Hz to 86 kHz.
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TABLE 5—MARINE MAMMAL HEARING GROUPS—Continued
[NMFS, 2018]
Generalized hearing
range *
Hearing group
Otariid pinnipeds (OW) (underwater) (sea lions and fur seals) ..................................................................................................
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. Please refer to
Table 3.
Potential Effects of the Specified
Activity on Marine Mammals and Their
Habitat
This section includes a summary and
discussion of the ways that components
of the specified activity may impact
marine mammals and their habitat. The
Estimated Take section later in this
document includes a quantitative
analysis of the number of individuals
that are expected to be taken by this
activity. The Negligible Impact Analysis
and Determination section considers the
content of this section, the Estimated
Take section, and the Proposed
Mitigation section, to draw conclusions
regarding the likely impacts of these
activities on the reproductive success or
survivorship of individuals and how
those impacts on individuals are likely
to impact marine mammal species or
stocks.
In the following discussion, we
provide general background information
on sound before considering potential
effects to marine mammals from sound
produced by pile driving.
ddrumheller on DSK120RN23PROD with PROPOSALS2
Description of Sound Sources
This section contains a brief technical
background on sound, on the
characteristics of certain sound types,
and on metrics used in this proposal
inasmuch as the information is relevant
to the specified activity and to a
discussion of the potential effects of the
specified activity on marine mammals
found later in this document.
The marine soundscape is comprised
of both ambient and anthropogenic
sounds. Ambient sound is defined as
the all-encompassing sound in a given
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place and is usually a composite of
sound from many sources both near and
far (ANSI 1994, 1995). The sound level
of an area is defined by the total
acoustical energy being generated by
known and unknown sources. These
sources may include physical (e.g.,
waves, wind, precipitation, earthquakes,
ice, atmospheric sound), biological (e.g.,
sounds produced by marine mammals,
fish, and invertebrates), and
anthropogenic sound (e.g., vessels,
dredging, aircraft, construction).
The sum of the various natural and
anthropogenic sound sources at any
given location and time—which
comprise ‘‘ambient’’ or ‘‘background’’
sound—depends not only on the source
levels (as determined by current
weather conditions and levels of
biological and shipping activity) but
also on the ability of sound to propagate
through the environment. In turn, sound
propagation is dependent on the
spatially and temporally varying
properties of the water column and sea
floor, and is frequency-dependent. As a
result of the dependence on a large
number of varying factors, ambient
sound levels can be expected to vary
widely over both coarse and fine spatial
and temporal scales. Sound levels at a
given frequency and location can vary
by 10–20 dB from day to day
(Richardson et al., 1995). The result is
that, depending on the source type and
its intensity, sound from the specified
activity may be a negligible addition to
the local environment or could form a
distinctive signal that may affect marine
mammals.
In-water construction activities
associated with the project would
include impact pile driving, vibratory
pile driving, DTH, pile cutting, and
power washing. Of these sounds, pile
cutting and power washing are not
expected to cause take of marine
mammals and are thus not addressed
further. The sounds produced by these
activities fall into one of two general
sound types: intermittent impulsive and
continuous, non-impulsive. Impulsive
sounds (e.g., explosions, gunshots, sonic
booms, impact pile driving) are
typically transient, brief (less than 1
second), broadband, and consist of high
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peak sound pressure with rapid rise
time and rapid decay (ANSI, 1986;
NIOSH, 1998; ANSI, 2005; NMFS,
2018). As regards the temporal aspect of
these sound types, impulsive sounds are
inherently intermittent, while nonimpulsive sounds may be intermittent
or continuous. Non-impulsive sounds
(e.g., machinery operations such as
drilling or dredging, vibratory pile
driving, pile cutting, power washing,
and active sonar systems) can be
broadband, narrowband or tonal, brief
or prolonged (continuous or
intermittent), and typically do not have
the high peak sound pressure with raid
rise/decay time that impulsive sounds
do (ANSI 1995; NIOSH 1998; NMFS
2018). The distinction between these
two sound types is important because
they have differing potential to cause
physical effects, particularly with regard
to hearing (e.g., Ward 1997 in Southall
et al., 2007).
Three types of pile hammers would be
used on this project: impact, vibratory,
and DTH. Impact hammers operate by
repeatedly dropping a heavy piston onto
a pile to drive the pile into the substrate.
Sound generated by impact hammers is
characterized by rapid rise times and
high peak levels, a potentially injurious
combination (Hastings and Popper,
2005). Vibratory hammers install piles
by vibrating them and allowing the
weight of the hammer to push them into
the sediment. Vibratory hammers
produce significantly less sound than
impact hammers. Peak sound pressure
levels (SPLs) may be 180 dB or greater,
but are generally 10 to 20 dB lower than
SPLs generated during impact pile
driving of the same-sized pile (Oestman
et al., 2009). Rise time is slower,
reducing the probability and severity of
injury, and sound energy is distributed
over a greater amount of time (Nedwell
and Edwards, 2002; Carlson et al.,
2005).
Rock or tension anchoring would be
conducted using a DTH hammer. A DTH
hammer is essentially a drill bit that
drills through the bedrock using a
rotating function like a normal drill in
concert with a hammering pulse
mechanism operated by a pneumatic (or
sometimes hydraulic) component
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integrated into the DTH hammer to
increase speed of progress through the
substrate (i.e., it is similar to a ‘‘hammer
drill’’ hand tool). Rock anchoring or
socketing involves using DTH
equipment to create a hole in the
bedrock inside which the pile is placed
to give it lateral and longitudinal
strength. Tension anchoring involves
creating a smaller hole below the bottom
of a pile. A length of rebar is typically
inserted in the small hole and is long
enough to run up through the middle of
a hollow pile to reach the surface where
it is connected to the pile to provide
additional mechanical support and
stability to the pile. The sounds
produced by DTH systems contain both
a continuous, non-impulsive component
from the drilling action and an
impulsive component from the
hammering effect. Therefore, NMFS
treats DTH systems as both impulsive
(for estimating Level A harassment
zones) and non-impulsive (for
estimating Level B harassment zones)
sound source types simultaneously.
The likely or possible impacts of the
Coast Guard’s proposed activity on
marine mammals could involve both
non-acoustic and acoustic stressors.
Potential non-acoustic stressors could
result from the physical presence of the
equipment and personnel; however, any
impacts to marine mammals are
expected to primarily be acoustic in
nature. Acoustic stressors include
effects of heavy equipment operation
during pile driving and removal.
Acoustic Impacts
The introduction of anthropogenic
noise into the aquatic environment from
DTH and pile driving is the primary
means by which marine mammals may
be harassed from the Coast Guard’s
specified activity. In general, animals
exposed to natural or anthropogenic
sound may experience physical and
psychological effects, ranging in
magnitude from none to severe
(Southall et al., 2007). Generally,
exposure to pile driving noise has the
potential to result in auditory threshold
shifts and behavioral reactions (e.g.,
avoidance, temporary cessation of
foraging and vocalizing, changes in dive
behavior). Exposure to anthropogenic
noise can also lead to non-observable
physiological responses such an
increase in stress hormones. Additional
noise in a marine mammal’s habitat can
mask acoustic cues used by marine
mammals to carry out daily functions
such as communication and predator
and prey detection. The effects of pile
driving noise on marine mammals are
dependent on several factors, including,
but not limited to, sound type (e.g.,
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impulsive vs. non-impulsive), the
species, age and sex class (e.g., adult
male vs. mom with calf), duration of
exposure, the distance between the pile
and the animal, received levels,
behavior at time of exposure, and
previous history with exposure
(Wartzok et al., 2004; Southall et al.,
2007). Here we discuss physical
auditory effects (threshold shifts)
followed by behavioral effects and
potential impacts on habitat.
NMFS defines a noise-induced
threshold shift (TS) as a change, usually
an increase, in the threshold of
audibility at a specified frequency or
portion of an individual’s hearing range
above a previously established reference
level (NMFS 2018). The amount of
threshold shift is customarily expressed
in dB. A TS can be permanent or
temporary. As described in NMFS
(2018), there are numerous factors to
consider when examining the
consequence of TS, including, but not
limited to, the signal temporal pattern
(e.g., impulsive or non-impulsive),
likelihood an individual would be
exposed for a long enough duration or
to a high enough level to induce a TS,
the magnitude of the TS, time to
recovery (seconds to minutes or hours to
days), the frequency range of the
exposure (i.e., spectral content), the
hearing and vocalization frequency
range of the exposed species relative to
the signal’s frequency spectrum (i.e.,
how an animal uses sound within the
frequency band of the signal; e.g.,
Kastelein et al., 2014), and the overlap
between the animal and the source (e.g.,
spatial, temporal, and spectral).
Permanent Threshold Shift (PTS)—
NMFS defines PTS as a permanent,
irreversible increase in the threshold of
audibility at a specified frequency or
portion of an individual’s hearing range
above a previously established reference
level (NMFS 2018). Available data from
humans and other terrestrial mammals
indicate that a 40 dB threshold shift
approximates PTS onset (see Ward et
al., 1958, 1959; Ward 1960; Kryter et al.,
1966; Miller 1974; Ahroon et al., 1996;
Henderson et al., 2008). PTS levels for
marine mammals are estimates, as with
the exception of a single study
unintentionally inducing PTS in a
harbor seal (Kastak et al., 2008), there
are no empirical data measuring PTS in
marine mammals largely due to the fact
that, for various ethical reasons,
experiments involving anthropogenic
noise exposure at levels inducing PTS
are not typically pursued or authorized
(NMFS 2018).
Temporary Threshold Shift (TTS)—
TTS is a temporary, reversible increase
in the threshold of audibility at a
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26445
specified frequency or portion of an
individual’s hearing range above a
previously established reference level
(NMFS 2018). Based on data from
cetacean TTS measurements (see
Southall et al., 2007), a TTS of 6 dB is
considered the minimum threshold shift
clearly larger than any day-to-day or
session-to-session variation in a
subject’s normal hearing ability
(Schlundt et al., 2000; Finneran et al.,
2000, 2002). As described in Finneran
(2015), marine mammal studies have
shown the amount of TTS increases
with cumulative sound exposure level
(SELcum) in an accelerating fashion: At
low exposures with lower SELcum, the
amount of TTS is typically small and
the growth curves have shallow slopes.
At exposures with higher SELcum, the
growth curves become steeper and
approach linear relationships with the
noise SEL.
Depending on the degree (elevation of
threshold in dB), duration (i.e., recovery
time), and frequency range of TTS, and
the context in which it is experienced,
TTS can have effects on marine
mammals ranging from discountable to
serious (similar to those discussed in
auditory masking, below). For example,
a marine mammal may be able to readily
compensate for a brief, relatively small
amount of TTS in a non-critical
frequency range that takes place during
a time when the animal is traveling
through the open ocean, where ambient
noise is lower and there are not as many
competing sounds present.
Alternatively, a larger amount and
longer duration of TTS sustained during
a time when communication is critical
for successful mother/calf interactions
could have more serious impacts. We
note that reduced hearing sensitivity as
a simple function of aging has been
observed in marine mammals, as well as
humans and other taxa (Southall et al.,
2007), so we can infer that strategies
exist for coping with this condition to
some degree, though likely not without
cost.
Many studies have examined noiseinduced hearing loss in marine
mammals (see Finneran (2015) and
Southall et al. (2019) for summaries).
For cetaceans, published data on the
onset of TTS are limited to the captive
bottlenose dolphin (Tursiops truncatus),
beluga whale (Delphinapterus leucas),
harbor porpoise, and Yangtze finless
porpoise (Neophocoena asiaeorientalis),
and for pinnipeds in water,
measurements of TTS are limited to
harbor seals, elephant seals (Mirounga
angustirostris), and California sea lions.
These studies examine hearing
thresholds measured in marine
mammals before and after exposure to
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intense sounds. The difference between
the pre-exposure and post-exposure
thresholds can be used to determine the
amount of threshold shift at various
post-exposure times. The amount and
onset of TTS depends on the exposure
frequency. Sounds at low frequencies,
well below the region of best sensitivity,
are less hazardous than those at higher
frequencies, near the region of best
sensitivity (Finneran and Schlundt,
2013). At low frequencies, onset-TTS
exposure levels are higher compared to
those in the region of best sensitivity
(i.e., a low frequency noise would need
to be louder to cause TTS onset when
TTS exposure level is higher), as shown
for harbor porpoises and harbor seals
(Kastelein et al., 2019a, 2019b). In
addition, TTS can accumulate across
multiple exposures, but the resulting
TTS will be less than the TTS from a
single, continuous exposure with the
same SEL (Finneran et al., 2010;
Kastelein et al., 2014; Kastelein et al.,
2015a; Mooney et al., 2009). This means
that TTS predictions based on the total,
SELcum will overestimate the amount
of TTS from intermittent exposures such
as sonars and impulsive sources.
Nachtigall et al., (2018) describe the
measurements of hearing sensitivity of
multiple odontocete species (bottlenose
dolphin, harbor porpoise, beluga, and
false killer whale (Pseudorca
crassidens)) when a relatively loud
sound was preceded by a warning
sound. These captive animals were
shown to reduce hearing sensitivity
when warned of an impending intense
sound. Based on these experimental
observations of captive animals, the
authors suggest that wild animals may
dampen their hearing during prolonged
exposures or if conditioned to anticipate
intense sounds. Another study showed
that echolocating animals (including
odontocetes) might have anatomical
specializations that might allow for
conditioned hearing reduction and
filtering of low-frequency ambient
noise, including increased stiffness and
control of middle ear structures and
placement of inner ear structures
(Ketten et al., 2021). Data available on
noise-induced hearing loss for
mysticetes are currently lacking (NMFS,
2018).
Installing piles requires a combination
of impact pile driving, vibratory pile
driving, and DTH. For the project, these
activities would not occur at the same
time and there would likely be pauses
in activities producing the sound during
each day. Given these pauses and that
many marine mammals are likely
moving through the action area and not
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remaining for extended periods of time,
the potential for TS declines.
Behavioral Harassment—Exposure to
noise from pile driving and drilling also
has the potential to behaviorally disturb
marine mammals. Available studies
show wide variation in response to
underwater sound; therefore, it is
difficult to predict specifically how any
given sound in a particular instance
might affect marine mammals
perceiving the signal. If a marine
mammal does react briefly to an
underwater sound by changing its
behavior or moving a small distance, the
impacts of the change are unlikely to be
significant to the individual, let alone
the stock or population. However, if a
sound source displaces marine
mammals from an important feeding or
breeding area for a prolonged period,
impacts on individuals and populations
could be significant (e.g., Lusseau and
Bejder, 2007; Weilgart, 2007; NRC,
2005).
Disturbance may result in changing
durations of surfacing and dives,
number of blows per surfacing, or
moving direction and/or speed;
reduced/increased vocal activities;
changing/cessation of certain behavioral
activities (such as socializing or
feeding); visible startle response or
aggressive behavior (such as tail/fluke
slapping or jaw clapping); avoidance of
areas where sound sources are located.
Pinnipeds may increase their haul out
time, possibly to avoid in-water
disturbance (Thorson and Reyff, 2006).
Behavioral responses to sound are
highly variable and context-specific and
any reactions depend on numerous
intrinsic and extrinsic factors (e.g.,
species, state of maturity, experience,
current activity, reproductive state,
auditory sensitivity, time of day), as
well as the interplay between factors
(e.g., Richardson et al., 1995; Wartzok et
al., 2003; Southall et al., 2007; Weilgart,
2007; Archer et al., 2010). Behavioral
reactions can vary not only among
individuals but also within an
individual, depending on previous
experience with a sound source,
context, and numerous other factors
(Ellison et al., 2012), and can vary
depending on characteristics associated
with the sound source (e.g., whether it
is moving or stationary, number of
sources, distance from the source). In
general, pinnipeds seem more tolerant
of, or at least habituate more quickly to,
potentially disturbing underwater sound
than do cetaceans, and generally seem
to be less responsive to exposure to
industrial sound than most cetaceans.
Please see Appendices B and C of
Southall et al. (2007) for a review of
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studies involving marine mammal
behavioral responses to sound.
Disruption of feeding behavior can be
difficult to correlate with anthropogenic
sound exposure, so it is usually inferred
by observed displacement from known
foraging areas, the appearance of
secondary indicators (e.g., bubble nets
or sediment plumes), or changes in dive
behavior. As for other types of
behavioral response, the frequency,
duration, and temporal pattern of signal
presentation, as well as differences in
species sensitivity, are likely
contributing factors to differences in
response in any given circumstance
(e.g., Croll et al., 2001; Nowacek et al.,
2004; Madsen et al., 2006; Yazvenko et
al., 2007). A determination of whether
foraging disruptions incur fitness
consequences would require
information on or estimates of the
energetic requirements of the affected
individuals and the relationship
between prey availability, foraging effort
and success, and the life history stage of
the animal.
In 2016, the Alaska Department of
Transportation and Public Facilities
(ADOT&PF) documented observations
of marine mammals during construction
activities (i.e., pile driving and DTH
drilling) at the Kodiak Ferry Dock (see
80 FR 60636, October 7, 2015). In the
marine mammal monitoring report for
that project (ABR 2016), 1,281 Steller
sea lions were observed within the
estimated Level B harassment zone
during pile driving or drilling. Of these,
19 individuals demonstrated an alert
behavior, 7 were fleeing, and 19 swam
away from the project site. All other
animals (98 percent) were engaged in
activities such as milling, foraging, or
fighting and did not change their
behavior. In addition, two sea lions
approached within 20 meters of active
vibratory pile driving activities. Three
harbor seals were observed within the
disturbance zone during pile driving
activities; none of them displayed
disturbance behaviors. Fifteen killer
whales and three harbor porpoises were
also observed within the estimated
Level B harassment zone during pile
driving. The killer whales were
travelling or milling while all harbor
porpoises were travelling. No signs of
disturbance were noted for either of
these species. Given the similarities in
activities and habitat and the fact the
same species are involved, we expect
similar behavioral responses of marine
mammals to the Coast Guard’s specified
activity. That is, disturbance, if any, is
likely to be temporary and localized
(e.g., small area movements).
Monitoring reports from other recent
pile driving and DTH projects in Alaska
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have observed similar behaviors (for
example, the Biorka Island Dock
Replacement Project https://
www.fisheries.noaa.gov/action/
incidental-take-authorization-faabiorka-island-dock-replacement-projectsitka-ak).
Airborne Acoustic Effects—Pinnipeds
that occur near the project sites could be
exposed to airborne sounds associated
with pile driving or DTH that have the
potential to cause behavioral
harassment, depending on their distance
from the activities. Cetaceans are not
expected to be exposed to airborne
sounds that would result in harassment
as defined under the MMPA.
Airborne noise would primarily be an
issue for pinnipeds that are swimming
or hauled out near the project sites
within the range of noise levels elevated
above the airborne acoustic harassment
criteria. We recognize that pinnipeds in
the water could be exposed to airborne
sound that may result in behavioral
harassment when swimming with their
heads above water. Most likely, airborne
sound would cause behavioral
responses similar to those discussed
above in relation to underwater sound.
For instance, anthropogenic sound
could cause hauled-out pinnipeds to
exhibit changes in their normal
behavior, such as reduction in
vocalizations, or cause them to
temporarily abandon the area and move
further from the source. However, these
animals would previously have been
‘taken’ because of exposure to
underwater sound above the behavioral
harassment thresholds, which are in all
cases larger than those associated with
airborne sound. Thus, the behavioral
harassment of these animals is already
accounted for in these estimates of
potential take. Therefore, we do not
believe that authorization of incidental
take resulting from airborne sound for
pinnipeds is warranted, and airborne
sound is not discussed further here.
Stress Responses—An animal’s
perception of a threat may be sufficient
to trigger stress responses consisting of
some combination of behavioral
responses, autonomic nervous system
responses, neuroendocrine responses, or
immune responses (e.g., Selye, 1950;
Moberg, 2000). In many cases, an
animal’s first and sometimes most
economical (in terms of energetic costs)
response is behavioral avoidance of the
potential stressor. Autonomic nervous
system responses to stress typically
involve changes in heart rate, blood
pressure, and gastrointestinal activity.
These responses have a relatively short
duration and may or may not have a
significant long-term effect on an
animal’s fitness.
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Neuroendocrine stress responses often
involve the hypothalamus-pituitaryadrenal system. Virtually all
neuroendocrine functions that are
affected by stress—including immune
competence, reproduction, metabolism,
and behavior—are regulated by pituitary
hormones. Stress-induced changes in
the secretion of pituitary hormones have
been implicated in failed reproduction,
altered metabolism, reduced immune
competence, and behavioral disturbance
(e.g., Moberg, 1987; Blecha, 2000).
Increases in the circulation of
glucocorticoids are also equated with
stress (Romano et al., 2004).
The primary distinction between
stress (which is adaptive and does not
normally place an animal at risk) and
‘‘distress’’ is the cost of the response.
During a stress response, an animal uses
glycogen stores that can be quickly
replenished once the stress is alleviated.
In such circumstances, the cost of the
stress response would not pose serious
fitness consequences. However, when
an animal does not have sufficient
energy reserves to satisfy the energetic
costs of a stress response, energy
resources must be diverted from other
functions. This state of distress will last
until the animal replenishes its
energetic reserves sufficient to restore
normal function.
Relationships between these
physiological mechanisms, animal
behavior, and the costs of stress
responses are well-studied through
controlled experiments and for both
laboratory and free-ranging animals
(e.g., Holberton et al., 1996; Hood et al.,
1998; Jessop et al., 2003; Krausman et
al., 2004; Lankford et al., 2005). Stress
responses due to exposure to
anthropogenic sounds or other stressors
and their effects on marine mammals
have also been reviewed (Fair and
Becker, 2000; Romano et al., 2002b)
and, more rarely, studied in wild
populations (e.g., Romano et al., 2002a).
For example, Rolland et al. (2012) found
that noise reduction from reduced ship
traffic in the Bay of Fundy was
associated with decreased stress in
North Atlantic right whales. These and
other studies lead to a reasonable
expectation that some marine mammals
will experience physiological stress
responses upon exposure to acoustic
stressors and that it is possible that
some of these would be classified as
‘‘distress.’’ In addition, any animal
experiencing TTS would likely also
experience stress responses (NRC,
2003), however distress is an unlikely
result of this project based on
observations of marine mammals during
previous, similar projects in the area.
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Auditory Masking—Sound can
disrupt behavior through masking, or
interfering with, an animal’s ability to
detect, recognize, or discriminate
between acoustic signals of interest (e.g.,
those used for intraspecific
communication and social interactions,
prey detection, predator avoidance,
navigation) (Richardson et al., 1995;
Erbe et al., 2016). Masking occurs when
the receipt of a sound is interfered with
by another coincident sound at similar
frequencies and at similar or higher
intensity, and may occur whether the
sound is natural (e.g., snapping shrimp,
wind, waves, precipitation) or
anthropogenic (e.g., shipping, sonar,
seismic exploration) in origin. The
ability of a noise source to mask
biologically important sounds depends
on the characteristics of both the noise
source and the signal of interest (e.g.,
signal-to-noise ratio, temporal
variability, direction), in relation to each
other and to an animal’s hearing
abilities (e.g., sensitivity, frequency
range, critical ratios, frequency
discrimination, directional
discrimination, age or TTS hearing loss),
and existing ambient noise and
propagation conditions. Masking of
natural sounds can result when human
activities produce high levels of
background sound at frequencies
important to marine mammals.
Conversely, if the background level of
underwater sound is high (e.g., on a day
with strong wind and high waves), an
anthropogenic sound source would not
be detectable as far away as would be
possible under quieter conditions and
would itself be masked.
Under certain circumstances, marine
mammals experiencing significant
masking could also be impaired from
maximizing their performance fitness in
survival and reproduction. Therefore,
when the coincident (masking) sound is
man-made, it may be considered
harassment when disrupting or altering
critical behaviors. It is important to
distinguish TTS and PTS, which persist
after the sound exposure, from masking,
which occurs during the sound
exposure. Because masking (without
resulting in TS) is not associated with
abnormal physiological function, it is
not considered a physiological effect,
but rather a potential behavioral effect.
The frequency range of the potentially
masking sound is important in
determining any potential behavioral
impacts. For example, low-frequency
signals may have less effect on highfrequency echolocation sounds
produced by odontocetes but are more
likely to affect detection of mysticete
communication calls and other
potentially important natural sounds
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such as those produced by surf and
some prey species. The masking of
communication signals by
anthropogenic noise may be considered
as a reduction in the communication
space of animals (e.g., Clark et al., 2009)
and may result in energetic or other
costs as animals change their
vocalization behavior (e.g., Miller et al.,
2000; Foote et al., 2004; Parks et al.,
2007; Di Iorio and Clark, 2009; Holt et
al., 2009). Masking can be reduced in
situations where the signal and noise
come from different directions
(Richardson et al., 1995), through
amplitude modulation of the signal, or
through other compensatory behaviors
(Houser and Moore, 2014). Masking can
be tested directly in captive species
(e.g., Erbe, 2008), but in wild
populations it must be either modeled
or inferred from evidence of masking
compensation. There are few studies
addressing real-world masking sounds
likely to be experienced by marine
mammals in the wild (e.g., Branstetter et
al., 2013).
Masking affects both senders and
receivers of acoustic signals and can
potentially have long-term chronic
effects on marine mammals at the
population level as well as at the
individual level. Low-frequency
ambient sound levels have increased by
as much as 20 dB (more than three times
in terms of SPL) in the world’s ocean
from pre-industrial periods, with most
of the increase from distant commercial
shipping (Hildebrand, 2009). All
anthropogenic sound sources, but
especially chronic and lower-frequency
signals (e.g., from vessel traffic),
contribute to elevated ambient sound
levels, thus intensifying masking. Many
of the Coast Guard facilities are in areas
that contain active commercial
shipping, fishing, cruise ship, and ferry
operations, as well as numerous
recreational and other commercial
vessels; therefore, background sound
levels in the areas are generally already
elevated.
Marine Mammal Habitat Effects
The Coast Guard’s construction
activities could have localized,
temporary impacts on marine mammal
habitat and their prey by increasing inwater sound pressure levels and slightly
decreasing water quality. Increased
noise levels may affect acoustic habitat
(see masking discussion above) and
adversely affect marine mammal prey in
the vicinity of the project area (see
discussion below). During construction
activities, elevated levels of underwater
noise would ensonify nearby areas
where both fishes and mammals occur
and could affect foraging success.
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Construction activities are of short
duration and would likely have
temporary impacts on marine mammal
habitat through increases in underwater
and airborne sound.
In-water pile driving, cutting, and
power washing activities would also
cause short-term effects on water quality
due to increased turbidity. Local strong
currents are anticipated to disburse any
additional suspended sediments
produced by project activities at
moderate to rapid rates depending on
tidal stage. The Coast Guard would
employ other standard construction best
management practices (see section 11 in
the Coast Guard’s application), thereby
reducing any impacts. Therefore, the
impact from increased turbidity levels is
expected to be discountable.
In-Water Construction Effects on
Potential Foraging Habitat
The area likely impacted by the
project is relatively small compared to
the available habitat in the Gulf of
Alaska. For a couple of facilities the
ensonified area includes BIAs for
feeding or migration for gray and/or
humpback whales as well as critical
habitats (see above). Kodiak and the
distant areas around Cordova are
included in the area designated as
critical habitat for the Mexico DPS of
humpback whales. Additionally, five
haulout sites are located within 20
nautical miles (37 km) of Base Kodiak,
the Seward Moorings, and of the
Cordova Moorings. The planned activity
is not anticipated to have any
meaningful or lasting impacts to any of
the aforementioned habitats of
biological or critical importance, nor is
it anticipated to significantly influence
the behaviors of marine mammals in
these habitats. Pile driving, power
washing, and DTH may temporarily
increase turbidity resulting from
suspended sediments. Any increases
would be temporary, localized, and
minimal. The Coast Guard must comply
with state water quality standards
during these operations. In general,
turbidity associated with pile
installation is localized to about a 25-ft
(7.6-m) radius around the pile (Everitt et
al., 1980). Any pinnipeds would be
transiting the area and could avoid
localized areas of turbidity. Therefore,
the impact from increased turbidity
levels is expected to be discountable to
marine mammals. Furthermore, pile
driving at the project sites would not
obstruct movements or migration of
marine mammals.
Avoidance by potential prey (i.e., fish)
of the immediate area due to the
temporary loss of this foraging habitat is
also possible. The duration of fish
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avoidance of this area after pile driving,
washing, cutting or DTH stops is
unknown, but a rapid return to normal
recruitment, distribution, and behavior
is anticipated. Any behavioral
avoidance by fish of the disturbed area
would still leave significantly large
areas of fish and marine mammal
foraging habitat in the nearby vicinity.
The duration of the construction
activities is relatively short. During each
day, construction activities would
generally only occur during daylight
hours, with exceptions at the end of the
work day to ensure safety of the site and
construction personnel. Impacts to
habitat and prey are expected to be
minimal based on the short duration of
activities and small size of affected
areas, and the likelihood that the areas
that are impacted are not of particular
importance to marine mammals.
In-Water Construction Effects on
Potential Prey (Fish)—Construction
activities would produce continuous,
non-impulsive (i.e., vibratory pile
driving, DTH) and intermittent
impulsive (i.e., impact driving and
DTH) sounds. Fish utilize the
soundscape and components of sound
in their environment to perform
important functions such as foraging,
predator avoidance, mating, and
spawning (e.g., Zelick et al., 1999; Fay,
2009). Depending on their hearing
anatomy and peripheral sensory
structures, which vary among species,
fishes hear sounds using pressure and
particle motion sensitivity capabilities
and detect the motion of surrounding
water (Fay et al., 2008). The potential
effects of noise on fishes depends on the
overlapping frequency range, distance
from the sound source, water depth of
exposure, and species specific hearing
sensitivity, anatomy, and physiology.
Key impacts to fishes may include
behavioral responses, hearing damage,
barotrauma (pressure-related injuries),
and mortality.
SPLs of sufficient strength have been
known to cause injury to fish and fish
mortality (Dahl et al., 2020). However,
in most fish species, hair cells in the ear
continuously regenerate and loss of
auditory function likely is restored
when damaged cells are replaced with
new cells. Halvorsen et al. (2012a)
showed that a TTS of 4–6 dB was
recoverable within 24 hours for one
species. Non-auditory injuries caused by
barotrauma can range from slight to
severe and can cause death, and is most
likely for fish with swim bladders.
Barotrauma injuries have been
documented during controlled exposure
to explosions and during impact pile
driving; however, the relationships
between severity of injury and location
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of the fish relative to the sound are not
well understood (Halvorsen et al.,
2012b; Casper et al., 2013; Dahl et al.,
2020).
Fish react to sounds that are
especially strong and/or intermittent
low-frequency sounds. Short duration,
sharp sounds can cause overt or subtle
changes in fish behavior and local
distribution. Hastings and Popper (2005)
identified several studies that suggest
fish may relocate to avoid certain areas
of sound energy. Additional studies
have documented effects of pile driving
on fish (e.g., Scholik and Yan, 2001,
2002; Popper and Hastings, 2009).
Impulsive sounds might affect the
distribution and behavior of some
fishes, potentially impacting foraging
opportunities or increasing energetic
costs (e.g., Fewtrell and McCauley,
2012; Pearson et al., 1992; Skalski et al.,
1992; Santulli et al., 1999; Paxton et al.,
2017). However, some studies have
shown no or slight reaction to impulse
sounds (e.g., Pena et al., 2013; Wardle
et al., 2001; Jorgenson and Gyselman,
2009; Cott et al., 2012). More
commonly, though, the impacts of noise
on fish are temporary and include
changes to behavior that return to
baseline shortly after the noiseproducing activity stops.
The most likely impact to fish from
pile driving and DTH activities at the
project areas would be temporary
behavioral avoidance of the area. The
duration of fish avoidance of the area
after pile driving stops is unknown, but
a rapid return to normal recruitment,
distribution, and behavior is
anticipated. There are times of known
seasonal marine mammal foraging in the
area of the facilities around fish
processing/hatchery infrastructure or
when fish are congregating, but the
impacted areas are a small portion of the
total foraging habitat available in the
region. In general, impacts to marine
mammal prey species are expected to be
minor and temporary due to the short
timeframe of the project and the small
project footprint.
Construction activities, in the form of
increased turbidity, have the potential
to adversely affect forage fish and
juvenile salmonid out-migratory routes
in the project area. Both herring and
salmon form a significant prey base for
Steller sea lions, herring is a primary
prey species of humpback whales, and
both herring and salmon are
components of the diet of many other
marine mammal species that occur in
the project area. Increased turbidity is
expected to occur in the immediate
vicinity (on the order of 25 ft or less) of
construction activities. However,
suspended sediments and particulates
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are expected to dissipate quickly within
a single tidal cycle. Given the limited
area affected and high tidal dilution
rates any effects on forage fish and
salmon are expected to be minor or
negligible. In addition, best management
practices would be in effect, which
would limit the extent of turbidity to the
immediate project area. Finally,
exposure to turbid waters from
construction activities is not expected to
be different from the current exposure;
fish and marine mammals in the region
are routinely exposed to substantial
levels of suspended sediment from
glacial sources.
In-water work windows have been
established to minimize the impacts of
the proposed activity on sensitive life
stages essential fish that are considered
prey species for many marine mammals.
Table 1 notes when periods of in-water
work may not occur and at which
facility.
In summary, given the short daily
duration of sound associated with
individual pile driving and DTH events
and the relatively small areas being
affected, pile driving and DTH activities
associated with the proposed action are
not likely to have a permanent, adverse
effect on any fish habitat, or populations
of fish species. Thus, we conclude that
impacts of the specified activity are not
likely to have more than short-term
adverse effects on any prey habitat or
populations of prey species. Further,
any impacts to marine mammal habitat
are not expected to result in significant
or long-term consequences for
individual marine mammals, or to
contribute to adverse impacts on their
populations.
Estimated Take
This section provides an estimate of
the number of incidental takes proposed
for authorization, which will inform
both NMFS’ consideration of ‘‘small
numbers’’ and the negligible impact
determination.
Harassment is the only type of take
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 A
or Level B harassment only, in the form
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of disruption of behavioral patterns for
individual marine mammals resulting
from exposure to the acoustic sources.
Based on the nature of the activity, no
serious injury or mortality is anticipated
or proposed to be authorized for this
activity. Below we describe how the
take is estimated.
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) and the number of days of
activities. We note that while these
basic factors can contribute to a basic
calculation to provide an initial
prediction of 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 proposed
take estimate.
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 PTS of some
degree (equated to Level A harassment).
Level B Harassment—Though
significantly driven by received level,
the onset of behavioral disturbance from
anthropogenic noise exposure is also
informed to varying degrees by other
factors related to the source (e.g.,
frequency, predictability, duty cycle),
the environment (e.g., bathymetry), and
the receiving animals (hearing,
motivation, experience, demography,
behavioral context) and can be difficult
to predict (Southall et al., 2007, Ellison
et al., 2012). Based on what the
available science indicates and the
practical need to use a threshold based
on a factor that is both predictable and
measurable for most activities, NMFS
uses a generalized acoustic threshold
based on received level to estimate the
onset of behavioral harassment. NMFS
predicts that marine mammals are likely
to be behaviorally harassed in a manner
we consider Level B harassment when
exposed to underwater anthropogenic
noise above received levels of 120 dB
referenced to 1 micropascal (re 1 mPa)
root mean square (rms) for continuous
(e.g., vibratory pile-driving, DTH) and
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above 160 dB re 1 mPa (rms) for nonexplosive impulsive, intermittent (e.g.,
impact driving, DTH) sources.
The Coast Guard’s proposed activity
includes the use of continuous
(vibratory, DTH) and impulsive (impact
pile driving and DTH) sources, and
therefore the 120 and 160 dB re 1 mPa
(rms) thresholds, respectively, are
applicable.
Level A harassment for non-explosive
sources—NMFS’ Technical Guidance
for Assessing the Effects of
Anthropogenic Sound on Marine
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 nonimpulsive). The Coast Guard’s proposed
activity includes the use of impulsive
(impact pile driving and DTH) and nonimpulsive (vibratory, DTH) 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-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 the 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 estimating the area
ensonified above the acoustic
thresholds, which include source levels
and transmission loss coefficient.
The sound field in the project area is
the existing background noise plus
additional construction noise from the
proposed project. Marine mammals are
expected to be affected via sound
generated by the primary components of
the project (i.e., impact pile driving,
vibratory pile driving, vibratory pile
removal, and DTH).
The actual durations of each
installation method vary depending on
the type and size of the pile. In order to
calculate distances to the Level A
harassment and Level B harassment
sound thresholds for piles of various
sizes and equipment being used in this
project, NMFS used acoustic monitoring
data from other locations to develop
source levels (Table 7). Note that piles
and holes of differing sizes have
different sound source levels (SSLs). For
simplicity and to be precautionary we
analyze the largest pile diameter of each
type (e.g., 24-inch diameter) even
though it is possible at some locations
in some situations smaller pile
diameters may be used or be removed.
TABLE 7—SOUND SOURCE LEVELS
Sound source level at 10 meters
(dB)
ddrumheller on DSK120RN23PROD with PROPOSALS2
Method and pile type
Timber Vibratory ......................................................................................
24-inch Steel Pipe Vibratory ...................................................................
Timber Impact .........................................................................................
Composite impact ....................................................................................
24-inch Steel Pipe Impact .......................................................................
24-inch Concrete Impact .........................................................................
DTH Non-impulsive component ..............................................................
24-inch DTH Impulsive component .........................................................
152
162
170
153
190
170
167
159
RMS ........................................
RMS ........................................
RMS, 160 SEL, 180 Pk ..........
RMS, 145 SEL .......................
RMS, 177 SEL, 203 Pk ..........
RMS, 159 SEL, 184 Pk ..........
RMS ........................................
SEL, 184 dB Pk ......................
Literature source
Greenbusch Group 2018.
Laughlin 2010.
CALTRANS 2015.
CALTRANS 2020.
CALTRANS 2015.
Mukilteo Terminal (WSDOT 2020).
Heyvaert & Reyff 2021.
Heyvaert & Reyff 2021.
Note: It is assumed that noise levels during pile installation and removal are similar. SEL = single strike sound exposure level; peak = peak
sound level; RMS = root mean square.
Level B Harassment Zones
Transmission loss (TL) is the decrease
in acoustic intensity as an acoustic
pressure wave propagates out from a
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source. TL parameters vary with
frequency, temperature, sea conditions,
current, source and receiver depth,
water depth, water chemistry, and
bottom composition and topography.
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The general formula for underwater TL
is:
TL = B * Log10 (R1/R2),
where
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TL = transmission loss in dB
B = transmission loss coefficient; for practical
spreading equals 15
R1 = the distance of the modeled SPL from
the driven pile, and
R2 = the distance from the driven pile of the
initial measurement
TABLE 8—CALCULATED DISTANCES TO
LEVEL B HARASSMENT ISOPLETHS
The recommended TL coefficient for
most nearshore environments is the
practical spreading value of 15. This
value results in an expected propagation
environment that would lie between
spherical and cylindrical spreading loss
conditions, which is the most
appropriate assumption for the Coast
Guard’s proposed activity.
Using the practical spreading model,
the Coast Guard determined underwater
noise would fall below the behavioral
effects thresholds of 120 dB rms or 160
dB rms for marine mammals at a
maximum radial distances from 46 m
for impact driving of timber or concrete
piles to 13,594 m for DTH (Table 8).
These distances determine the
maximum Level B harassment zones for
the project. It should be noted that
based on the geography of many of the
sites, sound will not reach the full
distance of the Level B harassment
isopleth. Generally, due to interaction
with land, only a portion of the possible
area is ensonified.
Timber Vibratory ...................
24-inch Steel Pipe Vibratory
Timber Impact .......................
Composite Impact .................
24-inch Steel Pipe Impact ....
24-inch Concrete Impact ......
DTH ......................................
Level B
isopleth
(m)
Method and pile type
1,359
6,310
46
3
1000
46
13,594
Level A Harassment Zones
When the NMFS Technical Guidance
(2016) was published, in recognition of
the fact that ensonified area/volume
could be more technically challenging
to predict because of the duration
component in the new thresholds, we
developed a User Spreadsheet that
includes tools to help predict a simple
isopleth that can be used in conjunction
with marine mammal density or
occurrence to help predict takes. We
note that because of some of the
assumptions included in the methods
used for these tools, we anticipate that
isopleths produced are typically going
to be overestimates of some degree,
which may result in some degree of
overestimate of take by Level A
harassment. However, these tools offer
the best way to predict appropriate
isopleths when more sophisticated three
dimensional modeling methods are not
available, and NMFS continues to
develop ways to quantitatively refine
these tools, and will qualitatively
address the output where appropriate.
For stationary sources such as pile
driving or DTH, NMFS User
Spreadsheet predicts the closest
distance at which, if a marine mammal
remained at that distance the whole
duration of the activity, it would not
incur PTS.
Inputs used in the User Spreadsheet
(Table 9), and the resulting isopleths are
reported below (Table 10). We analyzed
scenarios with up to five piles per day
to account for maximum possible
production rates. Level A harassment
thresholds for impulsive sound sources
(impact pile driving and DTH) are
defined for both SELcum and Peak SPL,
with the threshold that results in the
largest modeled isopleth for each
marine mammal hearing group used to
establish the Level A harassment
isopleth. In this analysis, Level A
harassment isopleths based on SELcum
were always larger than those based on
Peak SPL.
TABLE 9—INPUTS OF PILE DRIVING AND DTH ACTIVITY USED IN USER SPREADSHEET
Weighting
factor
adjustment
Method and pile type
Timber Vibratory ..........................................................................................................................
24-inch Steel Pipe Vibratory ........................................................................................................
Timber Impact ..............................................................................................................................
Composite Impact ........................................................................................................................
24-inch Steel Pipe Impact ...........................................................................................................
24-inch Concrete Impact .............................................................................................................
24-inch DTH .................................................................................................................................
Duration
(minutes;
vibratory) or
strikes per pile
(impact)
2.5
2.5
2
2
2
2
2
Piles per day
50
10
100
120
400
184
60
5
5
5
5
1
5
2
Note: Data for all equipment types were for transmission loss of 15*log(r) and distance of source level measurements was 10 meters.
The above input scenarios lead to a
PTS isopleth distance (Level A
harassment threshold) of 0 to 517.1 m,
depending on the marine mammal
hearing group and scenario (Table 9).
TABLE 10—CALCULATED DISTANCES TO LEVEL A HARASSMENT ISOPLETHS (m) DURING PILE INSTALLATION AND REMOVAL
FOR EACH HEARING GROUP
ddrumheller on DSK120RN23PROD with PROPOSALS2
Method and pile type
Low frequency
Mid frequency
1.5
7.1
18.4
2.1
215.8
27.7
434.1
0.1
0.6
0.7
0.1
7.7
1
15.4
Timber Vibratory ..................................................................
24-inch Steel Pipe Vibratory ................................................
Timber Impact ......................................................................
Composite Impact ................................................................
24-inch Steel Pipe Impact ....................................................
24-inch Concrete Impact ......................................................
24-inch DTH .........................................................................
High
frequency
2.2
10.4
21.9
2.5
257.1
33.0
517.1
Phocid
0.9
4.3
9.9
1.1
115.5
14.8
232.2
Otariid
0.1
0.3
0.7
0.1
8.4
1.1
16.9
Note: a minimum 20-m shutdown zone, as proposed by the Coast Guard, will be implemented for all species and activity types to prevent direct injury of marine mammals.
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Marine Mammal Occurrence and Take
Calculation and Estimation
ddrumheller on DSK120RN23PROD with PROPOSALS2
In this section we provide the
information about the presence, density,
or group dynamics of marine mammals
that will inform the take calculations.
Here we describe how the information
provided above is brought together to
produce a quantitative take estimate.
Note: NA indicates that occurrence
data was not used for that species and
site combination. Density data for
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Available information regarding
marine mammal occurrence and
abundance in the vicinity of the eight
facilities includes monitoring data from
the NMFS Alaska Regional Office, prior
incidental take authorizations, and ESA
consultations on additional projects
(Table 11). When local density
information is not available, data
aggregated in the Navy’s Marine
Mammal Species Density Database (U.S.
Navy, 2019, 2020) for the Gulf of Alaska
or Northwest Testing and Training areas
(Table 12) or nearby proxies from the
monitoring data are used; whichever
gives the most precautionary take
estimate was chosen.
Table 11—Marine Mammal Occurrence
Data (per day) From Prior Projects
BILLING CODE 3510–22–P
species/site combinations listed as NA
in this table are shown in Table 12.
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26453
TABLE 12—MARINE MAMMAL DENSITIES FROM NAVY DATA
Southeast Alaska
facilities species
density
(#/km2) 1 2 3
Stock
Gray whale ...............................................................................................................................................
Humpback whale Central North Pacific ...................................................................................................
Humpback Whale Western North Pacific 6 ..............................................................................................
Fin whale .................................................................................................................................................
Minke whale .............................................................................................................................................
Killer whale (General) ..............................................................................................................................
Killer whale Resident ...............................................................................................................................
Killer whale Transient ..............................................................................................................................
Pacific white-sided dolphin ......................................................................................................................
Dall’s porpoise .........................................................................................................................................
Harbor porpoise .......................................................................................................................................
California sea lion 7 ..................................................................................................................................
Northern fur seal ......................................................................................................................................
Steller sea lion .........................................................................................................................................
Harbor seal ..............................................................................................................................................
0.016
0.002
N/A
0.0001
0.001
N/A
0.035
0.006
0.085
0.121
0.010
0.025
0.276
0.316
1.727
Gulf of Alaska/
Prince William
Sound
facilities species
density
(#/km2) 3 4 5
0.048
0.093
0.093
0.068
0.006
0.005
N/A
N/A
0.020
0.218
0.455
0
0.090
0.068
0.169
1 Facilities
including Ketchikan, Sitka, Juneau, and Petersburg.
Alaska density values generally from Western Behm Canal values reported in U.S. Navy (2020).
species density values reported in the U.S. Navy (2020) and U.S. Navy (2021) vary by time of year, the greatest value is presented
here as a conservative estimate.
4 Facilities including Kodiak, Seward, Valdez, and Cordova.
5 Gulf of Alaska/Prince William Sound species density values generally from inshore or within the 500–1000 m isobath values reported in U.S.
Navy (2021).
6 The range for the Western North Pacific stock of humpback whales does not extend to Southeast Alaska.
7 U.S. Navy 2020 density values for California sea lion do not include Western Behm Canal and the value used here is from the San Juan Islands, the next closest zone to the project area where a density value is available.
2 Southeast
ddrumheller on DSK120RN23PROD with PROPOSALS2
3 Where
The data on abundance and
occurrence from prior projects is
derived from the following projects: (1)
Kodiak—PSO monitoring reports from
dock repair projects in 2018 and 2020
(NMFS Alaska Region). (2) Sitka—Data
are from the Old Sitka Dock project (86
FR 22392, April 28, 2021). (3)
Ketchikan—Data are from the Tongass
Narrows project (85 FR 673, January 7,
2020) and other projects in preparation
in the area. (4) Valdez—Data are from
monitoring for an oil spill response in
late April and early May 2020 (NMFS
Alaska Region). (5) Juneau—Data are
from the Erickson Dock project (84 FR
65360, November 27, 2019) and the
Juneau Waterfront Improvement Project
(85 FR 18562, April 2, 2020). (6)
Seward—An IHA application for the
Seward Passenger Terminal project
recently received by NMFS included
information resulting from consultation
with the Alaska SeaLife Center, the
Kenai Fjords NPS, local whale watching
companies, and scientific literature to
estimate the occurrence of marine
mammals in Seward.
To quantitatively assess exposure of
marine mammals to noise from pile
driving and drilling activities when
density estimates are most appropriate
we used the density estimate and the
annual anticipated number of work days
for each activity (Table 2) at each
facility to determine the number of
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animals potentially harassed on any one
day of activity. The calculation is:
Exposure estimate = Density ×
harassment area × maximum days
of activity
For example, exposure estimates at
the Ketchikan site for gray whales were
calculated by first finding the product of
the SE Alaska species density (0.0155
animals/km2), the ensonified area for
the activity (e.g., 1.45 km2 for vibratory
pile driving of timber piles), for the
anticipated number of days for that
activity each year (10 days/year). After
finding the product for each activity for
each year, the values were summed to
find the total number of takes for that
species across all 5 years. This method
was used for all species for which local
occurrence data were not available.
When occurrence data from prior
projects are the most appropriate data
for exposure estimation, we used the
occurrence estimate (number/unit of
time) and the maximum work days
(converted to the appropriate unit of
time as needed) per year (Table 2) at
each facility to determine the number of
animals potentially exposed to an
activity. The calculation is:
Exposure estimate = Occurrence/time ×
time of activity
And these values are then summed
across activity/pile types.
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When exposure estimates from
density data are used for sites with no
local occurrence data and the exposure
estimate is less than a typical group
size, we increase the estimated take
based on that group size to account for
the possibility a single group entering
the project area would exceed
authorized take. Table 13 shows the
source of data used in exposure
estimates.
The size of the Level B harassment
zones for each facility and activity are
in Table 14. Level A harassment take is
only proposed for the activities creating
the largest Level A harassment zones:
DTH and impact driving of steel pipe
piles (see Figures 6–2 through Figure 6–
9 in the Coast Guard’s application), and
for species that would be difficult for
observers to detect within large,
unconfined zones: high frequency
cetaceans and phocid pinnipeds. The
topography of sites and facilities in
Seward, Juneau, Sitka, and Petersburg
are restricted such that noise would be
confined to a small area or basin, and
PSOs would be able to observe any
marine mammals approaching the
activity are and Level A shutdown zone
with enough warning that work could
be stopped before a take by Level A
harassment would occur. The facilities
at the remaining four sites (Kodiak,
Ketchikan, Valdez, and Cordova) are
less confined, and PSOs may be unable
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to observe cryptic species at the
calculated isopleths. Therefore, we
conservatively propose small numbers
of take by Level A harassment for high
frequency cetaceans and phocid
pinnipeds at these sites.
Abbreviations for source data are: N—
Navy density data, Ke—Ketchikan, Sit—
Sitka, Sew—Seward, J—Juneau, V—
Valdez, Ko—Kodiak, G—estimate
rounded up to 1 group *—Not
applicable (no take).
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Table 13—Source of Data Used To
Estimate Exposure for Each Species or
Stock and Facility
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TABLE 14—LEVEL B HARASSMENT AREAS AT EACH FACILITY (km2) FOR EACH METHOD AND/OR PILE TYPE
Facility
Timber
vibratory
Kodiak ......................................................
Sitka .........................................................
Ketchikan .................................................
Valdez ......................................................
Cordova ....................................................
Juneau .....................................................
Petersburg ................................................
Seward .....................................................
1.3
0.87
1.45
2.62
........................
1.62
1.63
........................
1 Composite
Steel vibratory
Timber impact
Composite 1
impact
4.51
5.67
7.29
40.21
23.42
NA
2.89
0.24
0.006
0.007
0.004
0.007
........................
0.003
0.006
........................
0
0
0
0
........................
0
0
........................
Steel impact
1.03
0.56
1.06
1.43
1.57
NA
1.33
0.24
DTH
4.51
........................
10.1
........................
........................
........................
........................
........................
Level B harassment zone (3 m) is completely encompassed by the 20 m shutdown zone proposed by Coast Guard.
The calculated Level B harassment
takes using the above data for each year
are in Table 15 and for each facility over
the course of the proposed rule are in
Table 16. See Tables 6–14 through 6–21
in the application and the supplemental
memo (composite piles) for detailed
calculations of estimated take for each
pile type and activity at each facility.
The calculated Level A harassment
takes using the above data for each year
are in Table 17 and for each facility over
the course of the proposed rule are in
Table 18.
Table 19 summarizes Level A and
Level B harassment take proposed to be
authorized for the project as well as the
percentage of each stock expected to be
taken in the year with the maximum
annual takes over the course of the
project.
TABLE 15—PROPOSED LEVEL B HARASSMENT TAKE IN EACH OF THE FIVE YEARS AND IN TOTAL FOR THE PROPOSED
RULE
Stock
Year 1
Gray whale ...............................................
Humpback whale * ...................................
Fin whale ..................................................
Minke whale .............................................
Killer whale * .............................................
Pacific white-sided dolphin ......................
Dall’s porpoise .........................................
Harbor porpoise Southeast Alaska ..........
Harbor porpoise Gulf of Alaska ...............
California sea lion ....................................
Northern fur seal ......................................
Steller sea lion Eastern ............................
Steller sea lion Western ...........................
Harbor seal Prince William Sound ...........
Harbor seal Lynn Canal/Stephens Passage ......................................................
Harbor seal Sitka/Chatham Straight ........
Harbor seal Clarence Strait .....................
Harbor seal South Kodiak ........................
Year 2
Year 3
Year 4
Year 5
Total
8
160
13
5
103
215
114
72
47
10
9
425
24
148
8
174
23
6
344
297
147
72
115
10
23
425
34
442
8
164
13
5
144
337
115
72
48
10
131
425
32
344
8
160
13
5
103
215
114
72
47
10
9
425
24
148
8
160
13
5
103
215
114
72
47
10
9
425
24
148
40
818
75
25
797
1,379
604
360
304
50
181
2,125
138
1,230
860
230
412
17
860
230
412
17
860
230
412
17
860
230
412
17
860
230
412
17
4,300
1,150
2,060
85
ddrumheller on DSK120RN23PROD with PROPOSALS2
* Stocks of killer whales and humpback whales cannot generally be identified in the field so total proposed take is listed at species level only.
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Table 16—Proposed Level B
Harassment Take for Each Facility
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TABLE 17—PROPOSED LEVEL A HARASSMENT TAKE IN EACH YEAR AND IN TOTAL FOR THE PROPOSED RULE
Stock
1
Dall’s porpoise Alaska .............................
Harbor porpoise Southeast Alaska ..........
Harbor porpoise Gulf of Alaska ...............
Harbor seal South Kodiak ........................
Harbor seal Clarence Strait .....................
2
86
20
55
20
20
3
98
20
85
20
20
4
86
20
55
20
20
5
86
20
55
20
20
Total
86
20
55
20
20
442
100
305
100
100
Table 18—Proposed Level A
Harassment Take for Each Facility of
the Proposed Rule
[Define ‘‘NA’’].
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BILLING CODE 3510–22–C
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TABLE 19—PROPOSED LEVEL A AND LEVEL B HARASSMENT TAKE AND PERCENT OF STOCK FOR THE HIGHEST ANNUAL
ESTIMATED TAKES OF THE PROJECT
Stock
Level A
Level B
Percent of
stock
Total
Gray whale Eastern North Pacific ...................................................................
Humpback whale Central North Pacific Humpback whale Western North Pacific ...............................................................................................................
0
8
8
0.03
0
174
174
a 1.7
Fin whale Northeast Pacific .............................................................................
Minke whale Alaska .........................................................................................
Killer whale Alaska Resident ...........................................................................
Killer whale Gulf of Alaska, Aleutian Islands, Bearing Sea Transient ............
Killer whale Northern Resident ........................................................................
Killer whale AT1 Transient b ............................................................................
Killer whale West Coast Transient ..................................................................
Pacific white-sided dolphin North Pacific .........................................................
Dall’s porpoise Alaska .....................................................................................
Harbor porpoise Southeast Alaska ..................................................................
Harbor porpoise Gulf of Alaska .......................................................................
California sea lion U.S .....................................................................................
Northern fur seal Eastern Pacific .....................................................................
Steller sea lion Eastern ...................................................................................
Steller sea lion Western ..................................................................................
Harbor seal Prince William Sound ...................................................................
Harbor seal Lynn Canal/Stephens Passage ...................................................
Harbor seal Sitka/Chatham Straight ................................................................
Harbor seal Clarence Strait .............................................................................
Harbor seal South Kodiak ...............................................................................
0
0
0
........................
........................
........................
........................
0
98
20
85
0
0
0
0
0
0
0
20
20
23
6
344
........................
........................
........................
........................
397
147
72
115
10
131
425
34
442
860
230
412
17
23
6
344
........................
........................
........................
........................
397
245
92
245
10
131
425
34
442
860
230
432
37
a 0.3
N/A
N/A
a 14.65
a 13.95
a 3.23
ab0
a 3.23
1.48
N/A
8.70
0.64
0.00
0.02
0.98
0.06
1.06
7.25
1.94
1.74
0.17
a Percent of stock impacted for humpback and killer whales was estimated assuming each stock is taken in proportion to its population size at
any given facility site from the total take (E.g., for killer whales at Kodiak, the Alaska Resident and Gulf of Alaska stocks are the only stocks
present. Of these, the Alaska Resident stock represents approximately 80% of the available animals, and GOA represents approximately 20%,
giving 4 total Alaska Resident killer whale takes over the 5 years, and 1 GOA killer whale take. This division was replicated for each site for all
present stocks. Takes were then calculated for each site based on the proportional representation of available stocks. Total takes for each stock
are shown as a percentage of the stock size.)
b AT1 Transient killer whales have the potential to be present in the Seward, Valdez, and Cordova, however we do not expect any of the
seven individuals to approach the project sites, therefore no take is expected to occur for this stock and none is proposed for authorization.
ddrumheller on DSK120RN23PROD with PROPOSALS2
Proposed Mitigation
Under section 101(a)(5)(A) of the
MMPA, NMFS must set forth the
permissible methods of taking pursuant
to such activity, and other means of
effecting the least practicable adverse
impact on such species or stock and its
habitat, paying particular attention to
rookeries, mating grounds, and areas of
similar significance, and on the
availability of such species or stock for
taking for certain subsistence uses
(‘‘least practicable adverse impact’’).
NMFS does not have a regulatory
definition for ‘‘least practicable adverse
impact.’’ 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
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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 and
impact on operations.
The mitigation strategies described
below largely follow those required and
successfully implemented under
previous incidental take authorizations
issued in association with similar
construction activities. Measurements
from similar pile driving events were
coupled with practical spreading loss
and other relevant information to
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estimate harassment zones (see
Estimated Take); these zones were used
to develop mitigation measures for DTH
and pile driving activities at the eight
facilities. Background discussion related
to underwater sound concepts and
terminology is provided in the section
on Description of Sound Sources, earlier
in this preamble.
The following mitigation measures are
proposed:
• Avoid direct physical interaction
with marine mammals during
construction activity. If a marine
mammal comes within 20 m of such
activity, operations must cease and
vessels must reduce speed to the
minimum level required to maintain
steerage and safe working conditions.
The Coast Guard has elected to establish
a minimum shutdown zone size of 20
m, larger than NMFS’ typical
requirement of a minimum 10 m
shutdown zone;
• Conduct training between
construction supervisors and crews and
the marine mammal monitoring team
and relevant Coast Guard staff prior to
the start of all pile driving, cutting or
power washing activity and when new
personnel join the work, so that
responsibilities, communication
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procedures, monitoring protocols, and
operational procedures are clearly
understood;
• DTH and pile driving activity must
be halted upon observation of either a
species for which incidental take is not
authorized or a species for which
incidental take has been authorized but
the authorized number of takes has been
met, entering or within the harassment
zone;
• The Coast Guard will establish and
implement a minimum shutdown zone
of 20 m during all pile driving and
removal activity, as well as the larger
zones indicated in Table 20. The
purpose of a shutdown zone is generally
to define an area within which
shutdown of the activity would occur
upon sighting of a marine mammal (or
in anticipation of an animal entering the
defined area). Shutdown zones typically
vary based on the activity type and
marine mammal hearing group. The
Coast Guard has elected to establish a
minimum shutdown zone size of 20 m,
larger than NMFS’ typical requirement
of a minimum 10 m shutdown zone;
• Employ PSOs and establish
monitoring locations as described in the
application, any issued LOA and the
Marine Mammal Monitoring Plan. The
Holder must monitor the project area to
the maximum extent possible based on
the required number of PSOs, required
monitoring locations, and
environmental conditions. For all DTH
and pile driving at least one PSO must
be used. The PSO will be stationed as
close to the activity as possible;
• The placement of the PSOs during
all DTH and pile driving activities will
ensure that the entire shutdown zone is
visible during pile installation. Should
environmental conditions deteriorate
such that marine mammals within the
entire shutdown zone will not be visible
(e.g., fog, heavy rain), pile driving must
be delayed until the PSO is confident
marine mammals within the shutdown
zone could be detected;
• Monitoring must take place from 30
minutes prior to initiation of DTH and
pile driving activity through 30 minutes
post-completion of DTH and pile
driving activity. Pre-start clearance
monitoring must be conducted during
periods of visibility sufficient for the
lead PSO to determine the shutdown
zones clear of marine mammals. DTH
and pile driving may commence
following 30 minutes of observation
when the determination is made;
• If DTH or pile driving is delayed or
halted due to the presence of a marine
mammal, the activity may not
commence or resume until either the
animal has voluntarily exited and been
visually confirmed beyond the
shutdown zone or 15 minutes have
passed without re-detection of the
animal;
• The Coast Guard must use soft start
techniques prior to beginning impact
pile driving. Soft start requires
contractors to provide an initial set of
three strikes at reduced energy, followed
by a 30-second waiting period, then two
subsequent reduced-energy strike sets.
A soft start must be implemented at the
start of each day’s impact pile driving
and at any time following cessation of
impact pile driving for a period of 30
minutes or longer;
• As described previously, the Coast
Guard would adhere to in-water work
windows designed for the protection of
fishes and marine mammals under other
permitting requirements;
• The Coast Guard has volunteered
that in-water construction activities will
occur only during civil daylight hours;
and
• Pile driving activity must be halted
upon observation of either a species for
which incidental take is not authorized
or a species for which incidental take
has been authorized but the authorized
number of takes has been met, entering
or within the largest applicable
harassment zone.
TABLE 20—SHUTDOWN ZONES (m) FOR EACH PILE TYPE AND METHOD
Low
frequency
cetacean
Method and pile type
ddrumheller on DSK120RN23PROD with PROPOSALS2
Timber Vibratory ..................................................................
24-inch Steel Pipe Vibratory ................................................
Timber Impact ......................................................................
Composite Impact ................................................................
24-inch Steel Pipe Impact ....................................................
24-inch Concrete Impact ......................................................
24-inch DTH .........................................................................
Based on our evaluation of the
applicant’s proposed measures, as well
as other measures considered by NMFS,
NMFS has preliminarily determined
that the proposed mitigation measures
provide the means 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.
Proposed Monitoring and Reporting
In order to issue an LOA for an
activity, section 101(a)(5)(A) of the
MMPA states that NMFS must set forth
requirements pertaining to the
monitoring and reporting of the
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Mid
frequency
cetacean
20
20
20
20
220
30
440
High
frequency
cetacean
20
20
20
20
20
20
20
authorized 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
present in the proposed 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:
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20
20
30
20
260
40
520
Phocid
Otariid
20
20
20
20
120
20
240
20
20
20
20
20
20
20
• 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
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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 important physical
components of marine mammal habitat).
• Mitigation and monitoring
effectiveness.
ddrumheller on DSK120RN23PROD with PROPOSALS2
Visual Monitoring
• Monitoring must be conducted by
qualified, NMFS-approved PSOs, in
accordance with the following: PSOs
must be independent (i.e., not
construction personnel) and have no
other assigned tasks during monitoring
periods. At least one PSO must have
prior experience performing the duties
of a PSO during construction activity
pursuant to a NMFS-issued incidental
take authorization. Other PSOs may
substitute other relevant experience,
education (degree in biological science
or related field), or training. PSOs must
be approved by NMFS prior to
beginning any activity subject to these
regulations.
• PSOs must record all observations
of marine mammals as described in any
issued LOA and the NMFS-approved
Marine Mammal Monitoring Plan,
regardless of distance from the pile
being driven. PSOs shall document any
behavioral reactions in concert with
distance from piles being driven or
removed;
PSOs must have the following
additional qualifications:
• Ability to conduct field
observations and collect data according
to assigned protocols;
• Experience or training in the field
identification of marine mammals,
including the identification of
behaviors;
• Sufficient training, orientation, or
experience with the construction
operation to provide for personal safety
during observations;
• 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 in-water construction
activities were conducted; dates, times,
and reason for implementation of
mitigation (or why mitigation was not
implemented when required); and
marine mammal behavior; and
• Ability to communicate orally, by
radio or in person, with project
personnel to provide real-time
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information on marine mammals
observed in the area as necessary;
• The Coast Guard must establish the
following monitoring locations. For all
pile driving activities, a minimum of
one PSO must be assigned to the active
pile driving location to monitor the
shutdown zones and as much of the
Level B harassment zones as possible.
Proposed monitoring locations are
shown in Figures 6–1 through 6–41 of
the application and summarized in
Table 21. The number of PSOs required
at each facility is dependent upon the
size of the Level B harassment area as
well as the topography of the activity
site and a PSO’s ability to observe the
estimated Level A harassment area for
the particular activity.
TABLE 21—SUMMARY OF PROTECTED
SPECIES OBSERVER (PSO) COVERAGE AT EACH FACILITY
Maximum
number of
PSOs
Facility
Kodiak ...................................
Sitka ......................................
Ketchikan ..............................
Valdez ...................................
Cordova ................................
Juneau ..................................
Petersburg ............................
Seward ..................................
2
5
5
3
3
3
3
2
Reporting
A draft marine mammal monitoring
report will be submitted to NMFS
within 90 days after the completion of
pile driving activities, or 60 days prior
to a requested date of issuance of any
future LOAs for projects at the same
location, whichever comes first. The
report will include an overall
description of work completed, a
narrative regarding marine mammal
sightings, and associated PSO data
sheets. Specifically, the report must
include:
• Dates and times (begin and end) of
all marine mammal monitoring.
• Construction activities occurring
during each daily observation period,
including the number and type of piles
driven or removed and by what method
(i.e., impact or cutting) and the total
equipment duration for cutting for each
pile or total number of strikes for each
pile (impact driving, DTH).
• PSO locations during marine
mammal monitoring.
• Environmental conditions during
monitoring periods (at beginning and
end of PSO shift and whenever
conditions change significantly),
including Beaufort sea state and any
other relevant weather conditions
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including cloud cover, fog, sun glare,
and overall visibility to the horizon, and
estimated observable distance;
• Upon observation of a marine
mammal, the following information:
name of PSO who sighted the animal(s),
and PSO location and activity at time of
sighting; time of sighting; identification
of the animal(s) (e.g., genus/species,
lowest possible taxonomic level, or
unidentified), PSO confidence in
identification, and the composition of
the group if there is a mix of species;
distance and bearing of each marine
mammal observed relative to the pile
being driven for each sighting (if pile
driving was occurring at time of
sighting); Estimated number of animals
(min/max/best estimate); estimated
number of animals by cohort (adults,
juveniles, neonates, group composition,
etc.); animal’s closest point of approach
and estimated time spent within the
harassment zone; and description of any
marine mammal behavioral observations
(e.g., observed behaviors such as feeding
or traveling), including an assessment of
behavioral responses thought to have
resulted from the activity (e.g., no
response or changes in behavioral state
such as ceasing feeding, changing
direction, flushing, or breaching);
• Number of marine mammals
detected within the harassment zones,
by species.
• Detailed information about any
implementation of any mitigation
triggered (e.g., shutdowns and delays), a
description of specific actions that
ensued, and resulting changes in
behavior of the animal(s), if any.
If no comments are received from
NMFS within 30 days, the draft final
report will constitute the final report. If
comments are received, a final report
addressing NMFS comments must be
submitted within 30 days after receipt of
comments.
Reporting Injured or Dead Marine
Mammals
In the event that personnel involved
in the construction activities discover
an injured or dead marine mammal, the
LOA-holder must immediately cease the
specified activities and report the
incident to the Office of Protected
Resources (OPR) (PR.ITP.Monitoring
Reports@noaa.gov), NMFS and to
Alaska Regional Stranding Coordinator
as soon as feasible. If the death or injury
was likely caused by the specified
activity, the Coast Guard must
immediately cease the specified
activities until NMFS is able to review
the circumstances of the incident and
determine what, if any, additional
measures are appropriate to ensure
compliance with the terms of the LOA
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ddrumheller on DSK120RN23PROD with PROPOSALS2
and regulations. The LOA-holder must
not resume their activities until notified
by NMFS. The report must include the
following information:
• Time, date, and location (latitude/
longitude) of the first discovery (and
updated location information if known
and applicable);
• Species identification (if known) or
description of the animal(s) involved;
• Condition of the animal(s)
(including carcass condition if the
animal is dead);
• Observed behaviors of the
animal(s), if alive;
• If available, photographs or video
footage of the animal(s); and
• General circumstances under which
the animal was discovered.
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 responses (e.g., intensity,
duration), the context of any responses
(e.g., critical reproductive time or
location, migration), 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 environmental 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).
DTH and pile driving activities
associated with the maintenance
projects, as described previously, have
the potential to disturb or displace
marine mammals. Specifically, the
specified activities may result in take, in
the form of Level B harassment
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(behavioral disturbance) only for all
species other than the harbor porpoise,
harbor seal, and Dall’s porpoise from
underwater sounds generated from DTH
and pile driving. Potential takes could
occur if individual marine mammals are
present in the ensonified zone when
DTH or pile driving is happening.
No serious injury or mortality would
be expected even in the absence of the
proposed mitigation measures. For all
species other than the harbor seal,
harbor porpoise and Dall’s porpoise, no
Level A harassment is anticipated due
to the confined nature of the facilities,
ability to position PSOs at stations from
which they can observe the entire
shutdown zones, and the high visibility
of the species expected to be present at
each site. Additionally, much of the
anticipated activity would involve
vibratory driving or installation of
small-diameter, non-steel piles, and
include measures designed to minimize
the possibility of injury. The potential
for injury is small for mid- and lowfrequency cetaceans and sea lions, and
is expected to be essentially eliminated
through implementation of the planned
mitigation measures—soft start (for
impact driving), and shutdown zones.
DTH and impact driving, as compared
with vibratory driving, have source
characteristics (short, sharp pulses with
higher peak levels and much sharper
rise time to reach those peaks) that are
potentially injurious or more likely to
produce severe behavioral reactions.
Given sufficient notice through use of
soft start, marine mammals are expected
to move away from a sound source that
is annoying prior to its becoming
potentially injurious or resulting in
more severe behavioral reactions.
Environmental conditions in these
waters are expected to generally be
good, with calm sea states, and we
expect conditions would allow a high
marine mammal detection capability,
enabling a high rate of success in
implementation of shutdowns to avoid
injury.
As described previously, there are
multiple species that should be
considered rare in the proposed project
areas and for which we propose to
authorize only nominal and
precautionary take. Therefore, we do not
expect meaningful impacts to these
species (i.e., gray whale, minke whale,
transient and resident killer whales, and
California sea lions) and preliminarily
find that the total marine mammal take
from each of the specified activities will
have a negligible impact on these
marine mammal species.
For remaining species, we discuss the
likely effects of the specified activities
in greater detail. Effects on individuals
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26461
that are taken by Level B harassment, on
the basis of reports in the literature as
well as monitoring from other similar
activities, will likely be limited to
reactions such as increased swimming
speeds, increased surfacing time, or
decreased foraging (if such activity were
occurring) (e.g., Thorson and Reyff,
2006; U.S. Navy, 2012; Lerma, 2014).
Most likely, individuals will simply
move away from the sound source and
be temporarily displaced from the areas
of pile driving, although even this
reaction has been observed primarily
only in association with impact pile
driving. The pile driving activities
analyzed here are similar to, or less
impactful than, numerous other
construction activities conducted in
Alaska, San Francisco Bay and in the
Puget Sound region, which have taken
place with no known long-term adverse
consequences from behavioral
harassment.
The U.S. Navy has conducted multiyear activities potentially affecting
marine mammals, and typically
involving greater levels of activity than
is contemplated here in various
locations such as San Diego Bay and
Puget Sound. Reporting from these
activities has similarly reported no
apparently consequential behavioral
reactions or long-term effects on marine
mammal populations (Lerma, 2014; U.S.
Navy, 2016a and b).
Repeated exposures of individuals to
relatively low levels of sound outside of
preferred habitat areas are unlikely to
significantly disrupt critical behaviors.
Thus, even repeated Level B harassment
of some small subset of the overall stock
is unlikely to result in any significant
realized decrease in viability for the
affected individuals, and thus would
not result in any adverse impact to the
stock as a whole. Level B harassment
will be reduced to the level of least
practicable adverse impact through use
of mitigation measures described herein
and, if sound produced by project
activities is sufficiently disturbing,
animals are likely to simply avoid the
area while the activity is occurring.
While vibratory driving or DTH
associated with some project
components may produce sound at
distances of many kilometers from the
pile driving site, thus intruding on
higher-quality habitat, the project sites
themselves and the majority of sound
fields produced by the specified
activities are within industrialized
areas. Therefore, we expect that animals
annoyed by project sound would simply
avoid the area and use more-preferred
habitats.
In addition to the expected effects
resulting from authorized Level B
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harassment, we anticipate that harbor
seals, harbor porpoises, and Dall’s
porpoises may sustain some limited
Level A harassment in the form of
auditory injury at four of the facilities,
assuming they remain within a given
distance of the pile driving activity for
the full number of pile strikes or DTH
strikes. Considering the short duration
to impact drive or vibrate each pile and
breaks between pile installations (to
reset equipment and move pile into
place), this means an animal would
have to remain within the area
estimated to be ensonified above the
Level A harassment threshold for
multiple hours. This is highly unlikely
given marine mammal movement
throughout the area. Harbor seals and
porpoises in these locations that do
experience PTS would likely only
receive slight PTS, i.e., minor
degradation of hearing capabilities
within regions of hearing that align most
completely with the energy produced by
DTH or pile driving, i.e., the lowfrequency region below 2 kHz, not
severe hearing impairment or
impairment in the regions of greatest
hearing sensitivity. If hearing
impairment occurs, it is most likely that
the affected animal would lose a few
decibels in its hearing sensitivity, which
in most cases is not likely to
meaningfully affect its ability to forage
and communicate with conspecifics. As
described above, we expect that marine
mammals would be likely to move away
from a sound source that represents an
aversive stimulus, especially at levels
that would be expected to result in PTS,
given sufficient notice through use of
soft start. Shutdown zones for the
porpoises are only slightly smaller than
the extent of the Level A harassment
zones, further minimizing the chances
for PTS or more severe effects.
In addition, although affected
humpback whales and Steller sea lions
may be from DPSs that are listed under
the ESA, it is unlikely that minor noise
effects in a small, localized area of suboptimal habitat would have any effect
on the stocks’ ability to recover. In
combination, we believe that these
factors, as well as the available body of
evidence from other similar activities,
demonstrate that the potential effects of
the specified activities will have only
minor, short-term effects on individuals.
The specified activities are not expected
to impact rates of recruitment or
survival and will therefore not result in
population-level impacts.
In summary and as described above,
the following factors primarily support
our preliminary determination that the
impacts resulting from this activity are
not expected to adversely affect the
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species or stock through effects on
annual rates of recruitment or survival:
• No mortality is anticipated or
authorized.
• Use of soft start (for impact driving)
is expected to minimize Level A
harassment.
• No important habitat areas have
been identified within the project area.
• For all species, the project locations
are a very small and generally
peripheral part of their range.
• Authorized Level A harassment
would be very small amounts and of
low degree.
• Monitoring reports from similar
work in many of the locations in Alaska
have documented little to no effect on
individuals of the same species
impacted by the specified 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
proposed monitoring and mitigation
measures, NMFS preliminarily finds
that the total marine mammal take from
the proposed activities will have a
negligible impact on the affected marine
mammal species or stocks.
Small Numbers
As noted above, only small numbers
of incidental take may be authorized
under section 101(a)(5)(A) of the MMPA
for specified 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 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, 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.
The amount of take NMFS proposes to
authorize is below one-third of the
estimated stock abundance of all species
and stocks (take of individuals is less
than 14 percent of the abundance of the
affected stocks for the year of this
rulemaking with the maximum amount
of activity; see Table 19). This is likely
a conservative estimate because it
assumes all takes are of different
individual animals, which is likely not
the case. Some individuals may return
multiple times in a day, but PSOs would
count them as separate takes if they
cannot be individually identified.
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For fin whale, minke whale, Dall’s
porpoise, and Southeast Alaska harbor
porpoise, no valid abundance estimate
for the entire stock is available. There is
no stock-wide abundance estimate for
Northeast Pacific fin whales. However,
Muto et al. (2021) estimate the
minimum stock size for the areas
surveyed is 2,554. Therefore, the 23
maximum annual authorized takes of
this stock represents small numbers of
this stock. There is no stock-wide
abundance estimate for the Alaska stock
of minke whales. However, Muto et al.
(2021) show over 2,000 animals for
areas surveyed recently. Therefore, the
six maximum annual authorized takes
of this stock represents small numbers
of this stock. The Alaska stock of Dall’s
porpoise has no official NMFS
abundance estimate for this area, as the
most recent estimate is greater than 8
years old. Nevertheless, the most recent
estimate was 83,400 animals and it is
unlikely this number has drastically
declined. Therefore, the 245 maximum
annual authorized takes of this stock
represents small numbers of this stock.
There is no stock-wide abundance
estimate for the Southeast Alaska stock
of harbor porpoises. However, Muto et
al. (2021) estimate the minimum stock
size for the areas surveyed is 1,057.
Therefore, the 92 maximum annual
authorized takes of this stock represents
small numbers of this stock. Therefore,
we preliminarily find that small
numbers of marine mammals will be
taken relative to the population size of
all stocks.
Based on the analysis contained
herein of the proposed activity
(including the proposed mitigation and
monitoring measures) and the
anticipated take of marine mammals,
NMFS preliminarily finds that small
numbers of marine mammals will be
taken relative to the population sizes of
the affected species or stocks.
Unmitigable Adverse Impact Analysis
and Determination
In order to issue regulations and
LOAs, NMFS must find that the
specified activity will not have an
‘‘unmitigable adverse impact’’ on the
subsistence uses of the affected marine
mammal species or stocks by Alaskan
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
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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.
As discussed above in the Effects of
Specified Activities on Subsistence Uses
of Marine Mammals section, subsistence
harvest of harbor seals and other marine
mammals is rare in the project areas and
local subsistence users have not
expressed concern about this project.
All project activities will take place
within industrialized areas where
subsistence activities do not generally
occur. The project also will not have an
adverse impact on the availability of
marine mammals for subsistence use at
locations farther away, where these
construction activities are not expected
to take place. Some minor, short-term
harassment of the harbor seals could
occur, but any effects on subsistence
harvest activities in the region will be
minimal, and not have an adverse
impact.
Based on the effects and location of
the specified activity, and the mitigation
and monitoring measures, NMFS has
preliminarily determined that there will
not be an unmitigable adverse impact on
subsistence uses from the Coast Guard’s
planned activities.
ddrumheller on DSK120RN23PROD with PROPOSALS2
Adaptive Management
The regulations governing the take of
marine mammals incidental to Coast
Guard maintenance construction
activities would contain an adaptive
management component.
The reporting requirements associated
with this proposed rule are designed to
provide NMFS with monitoring data
from the previous year to allow
consideration of whether any changes
are appropriate. The use of adaptive
management allows NMFS to consider
new information from different sources
to determine (with input from the Coast
Guard regarding practicability) on an
annual basis if mitigation or monitoring
measures should be modified (including
additions or deletions). Mitigation
measures could be modified if new data
suggests that such modifications would
have a reasonable likelihood of reducing
adverse effects to marine mammals and
if the measures are practicable.
The following are some of the
possible sources of applicable data to be
considered through the adaptive
management process: (1) results from
monitoring reports, as required by
MMPA authorizations; (2) results from
general marine mammal and sound
research; and (3) any information which
reveals that marine mammals may have
been taken in a manner, extent, or
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number not authorized by these
regulations or subsequent LOAs.
Endangered Species Act
Section 7(a)(2) of the Endangered
Species Act of 1973 (16 U.S.C. 1531 et
seq.) requires that each Federal agency
insure that any action it authorizes,
funds, or carries out is not likely to
jeopardize the continued existence of
any endangered or threatened species or
result in the destruction or adverse
modification of designated critical
habitat. To ensure ESA compliance for
the issuance of regulations and LOAs,
NMFS consults internally, in this case
with the Alaska Regional Office,
whenever we propose to authorize take
for endangered or threatened species.
NMFS is proposing to authorize take
of Western DPS Steller sea lions
(Eumetopias jubatus) and Mexico DPS
of humpback whales (Megaptera
novaeangliae), which are listed under
the ESA. NMFS’ Office of Protected
Resources has requested initiation of
Section 7 consultation with the NMFS
Alaska Regional Office for the issuance
of these regulations and LOA. NMFS
will conclude the ESA consultation
prior to reaching a determination
regarding the proposed issuance of the
authorization.
Request for Information
NMFS requests interested persons to
submit comments, information, and
suggestions concerning the Coast
Guard’s request and the proposed
regulations (see ADDRESSES). All
comments will be reviewed and
evaluated as we prepare a final rule and
make final determinations on whether
to issue the requested authorization.
This document and referenced
documents provide all environmental
information relating to our proposed
action for public review.
Classification
Pursuant to the procedures
established to implement Executive
Order 12866, the Office of Management
and Budget has determined that this
proposed rule is not significant.
Pursuant to section 605(b) of the
Regulatory Flexibility Act (RFA), the
Chief Counsel for Regulation of the
Department of Commerce has certified
to the Chief Counsel for Advocacy of the
Small Business Administration that this
proposed rule, if adopted, would not
have a significant economic impact on
a substantial number of small entities.
The Coast Guard is the sole entity that
would be subject to the requirements in
these proposed regulations, and the
Coast Guard is not a small governmental
jurisdiction, small organization, or small
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26463
business, as defined by the RFA.
Because of this certification, a
regulatory flexibility analysis is not
required and none has been prepared.
This proposed rule does not contain
a collection-of-information requirement
subject to the provisions of the
Paperwork Reduction Act because the
applicant is a federal agency.
List of Subjects in 50 CFR Part 217
Exports, Fish, Imports, Indians,
Labeling, Marine mammals, Penalties,
Reporting and recordkeeping
requirements, Seafood, Transportation.
Dated: April 20, 2023.
Samuel D. Rauch, III,
Deputy Assistant Administrator for
Regulatory Programs, National Marine
Fisheries Service.
For reasons set forth in the preamble,
NMFS proposes to amend 50 CFR part
217 as follows:
PART 217—REGULATIONS
GOVERNING THE TAKING OF MARINE
MAMMALS INCIDENTAL TO
SPECIFIED ACTIVITES
1. The authority citation for part 217
continues to read as follows:
■
Authority: 16 U.S.C. 1361 et seq.
2. Add subpart T, consisting of
§§ 217.190 through 217.199, to read as
follows:
■
Subpart T—Taking Marine Mammals
Incidental to U.S. Coast Guard Alaska
Facility Maintenance and Repair
Activities
Sec.
217.190 Specified activity and specified
geographical region.
217.191 Effective dates.
217.192 Permissible methods of taking.
217.193 Prohibitions.
217.194 Mitigation requirements.
217.195 Requirements for monitoring and
reporting.
217.196 Letters of Authorization.
217.197 Renewals and modifications of
Letters of Authorization.
217.198–217.199 [Reserved]
§ 217.190 Specified activity and specified
geographical region.
(a) Regulations in this subpart apply
only to incidental taking of marine
mammals by the U.S. Coast Guard
(Coast Guard) and those persons it
authorizes or funds to conduct activities
on its behalf in the areas outlined in
paragraph (b) of this section and that
occurs incidental to maintenance
construction activities.
(b) The taking of marine mammals by
the Coast Guard may be authorized in a
Letter of Authorization (LOA) only if it
occurs within Gulf of Alaska waters in
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the vicinity of one of the following eight
Coast Guard facilities: Kodiak, Sitka,
Ketchikan, Valdez, Cordova, Juneau,
Petersburg, and Seward.
§ 217.191
Effective dates.
Regulations in this subpart are
effective from [EFFECTIVE DATE OF A
FINAL RULE], through [DATE 5 YEARS
AFTER THE EFFECTIVE DATE OF A
FINAL RULE].
§ 217.192
Permissible methods of taking.
Under LOAs issued pursuant to
§ 216.106 of this chapter and § 217.196,
the Holder of the LOA (hereinafter
‘‘Coast Guard’’) may incidentally, but
not intentionally, take marine mammals
within the area described in
§ 217.190(b) by Level A or Level B
harassment associated with
maintenance construction activities,
provided the activity is in compliance
with all terms, conditions, and
requirements of the regulations in this
subpart and the appropriate LOA.
§ 217.193
Prohibitions.
Except for takings described in
§ 217.192 and authorized by a LOA
issued under § 216.106 of this chapter
and § 217.196, it shall be unlawful for
any person to do any of the following
in connection with the activities
described in § 217.190 may:
(a) Violate, or fail to comply with, the
terms, conditions, and requirements of
this subpart or a LOA issued under
§ 216.106 of this chapter and § 217.196;
(b) Take any marine mammal not
specified in such LOAs;
(c) Take any marine mammal
specified in such LOAs in any manner
other than as authorized;
(d) Take a marine mammal specified
in such LOAs after NMFS determines
such taking results in more than a
negligible impact on the species or
stocks of such marine mammal; or
(e) Take a marine mammal specified
in such LOAs after NMFS determines
such taking results in an unmitigable
adverse impact on the species or stock
of such marine mammal for taking for
subsistence uses.
ddrumheller on DSK120RN23PROD with PROPOSALS2
§ 217.194
Mitigation requirements.
When conducting the activities
identified in § 217.190(a), the mitigation
measures contained in this subpart and
any LOA issued under § 216.106 of this
chapter and § 217.196 must be
implemented. These mitigation
measures shall include but are not
limited to:
(a) General conditions. (1) A copy of
any issued LOA must be in the
possession of the Coast Guard,
supervisory construction personnel,
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lead protected species observers (PSOs),
and any other relevant designees of the
Coast Guard operating under the
authority of this LOA at all times that
activities subject to this LOA are being
conducted.
(2) The Coast Guard shall conduct
training between construction
supervisors and crews and the marine
mammal monitoring team and relevant
Coast Guard staff prior to the start of all
down-the-hole (DTH), pile driving,
cutting or power washing activity and
when new personnel join the work, so
that responsibilities, communication
procedures, monitoring protocols, and
operational procedures are clearly
understood.
(3) The Coast Guard shall avoid direct
physical interaction with marine
mammals during construction activity.
If a marine mammal comes within 20 m
of an activity regulated under this
subpart, operations must cease and
vessels must reduce speed to the
minimum level required to maintain
steerage and safe working conditions.
(b) Shutdown zones. (1) For all DTH,
pile driving, cutting or power washing
activity, the Coast Guard shall
implement a minimum shutdown zone
of a 20-m radius around the pile or DTH
hole. If a marine mammal comes within
or approaches the shutdown zone, such
operations shall cease.
(2) For all DTH and pile driving
activity, the Coast Guard shall
implement shutdown zones with radial
distances as identified in any LOA
issued under § 216.106 of this chapter
and § 217.196. If a marine mammal
comes within or approaches the 20-m
shutdown zone, such operations shall
cease.
(3) For all DTH and pile driving
activity, the Coast Guard shall designate
monitoring zones with radial distances
as identified in any LOA issued under
§ 216.106 of this chapter and § 217.196.
Anticipated observable zones within the
designated monitoring zones shall be
identified in the Marine Mammal
Monitoring Plan, subject to approval by
NMFS.
(c) Shutdown protocols. (1) The Coast
Guard shall deploy Protected Species
Observers (PSOs) as indicated in the
Marine Mammal Monitoring Plan,
which shall be subject to approval by
NMFS, and as described in § 217.195.
(2) For all DTH and pile driving
activities, a minimum of one PSO shall
be stationed at the active pile driving rig
or activity site or in reasonable
proximity in order to monitor the entire
shutdown zone.
(3) Monitoring must take place from
30 minutes prior to initiation of DTH
and pile driving activity through 30
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minutes post-completion of DTH and
pile driving activity. Pre-start clearance
monitoring must be conducted during
periods of visibility sufficient for the
lead PSO to determine the shutdown
zones clear of marine mammals. DTH
and pile driving activity may commence
following 30 minutes of observation
when the determination is made.
(4) If DTH and pile driving activity is
delayed or halted due to the presence of
a marine mammal, the activity may not
commence or resume until either the
animal has voluntarily exited and been
visually confirmed beyond the
shutdown zone or 15 minutes have
passed without re-detection of the
animal.
(5) Monitoring shall be conducted by
trained PSOs, who shall have no other
assigned tasks during monitoring
periods. Trained PSOs shall be placed at
the best vantage point(s) practicable to
monitor for marine mammals and
implement shutdown or delay
procedures when applicable through
communication with the equipment
operator. The Coast Guard shall adhere
to the following additional PSO
qualifications:
(i) Independent observers (i.e., not
construction personnel) are required.
(ii) At least one observer must have
prior experience working as an observer.
(iii) Other observers may substitute
education (degree in biological science
or related field) or training for
experience.
(iv) Where a team of three or more
PSOs are required, one observer shall be
designated as lead observer or
monitoring coordinator. The lead
observer must have prior experience
working as an observer.
(v) The Coast Guard shall submit PSO
CVs for approval by NMFS.
(d) Soft start protocols. The Coast
Guard must use soft start techniques for
impact pile driving. Soft start for impact
drivers requires contractors to provide
an initial set of three strikes at reduced
energy, followed by a 30-second waiting
period, then two subsequent reduced
energy three-strike sets. Soft start shall
be implemented at the start of each
day’s impact pile driving and at any
time following cessation of impact pile
driving for a period of 30 minutes or
longer.
§ 217.195 Requirements for monitoring
and reporting.
(a) Marine mammal monitoring plan.
The Coast Guard must submit a Marine
Mammal Monitoring Plan to NMFS for
approval in advance of construction.
Marine mammal monitoring must be
conducted in accordance with the
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conditions in this section and the
Marine Mammal Monitoring Plan.
(b) PSO requirements. Monitoring
must be conducted by qualified, NMFSapproved PSOs, in accordance with the
following: PSOs must be independent
(i.e., not construction personnel) and
have no other assigned tasks during
monitoring periods. At least one PSO
must have prior experience performing
the duties of a PSO during construction
activity pursuant to a NMFS-issued
incidental take authorization. Other
PSOs may substitute other relevant
experience, education (degree in
biological science or related field), or
training. PSOs must be approved by
NMFS prior to beginning any activity
subject to this subpart.
(c) Marine mammal observation
recording. PSOs must record all
observations of marine mammals as
described in the Marine Mammal
Monitoring Plan, regardless of distance
from the pile being driven. PSOs shall
document any behavioral reactions in
concert with distance from piles being
driven or removed.
(d) PSO deployment. The Coast Guard
shall deploy additional PSOs to monitor
harassment zones according to the
minimum requirements defined in
Marine Mammal Monitoring Plan,
subject to approval by NMFS. These
observers shall collect sighting data and
behavioral responses to pile driving for
marine mammal species observed in the
region of activity during the period of
activity, and shall communicate with
the shutdown zone observer(s) as
appropriate with regard to the presence
of marine mammals. All observers shall
be trained in identification and
reporting of marine mammal behaviors.
(e) Reporting. (1)(i) Coast Guard shall
submit a draft monitoring report to
NMFS within 90 work days of the
completion of required monitoring for
each portion of the project as well as a
comprehensive summary report at the
end of the project. Coast Guard shall
provide a final report within 30 days
following resolution of comments on the
draft report. If no work requiring
monitoring is conducted within a
calendar year, Coast Guard shall provide
a statement to that effect in lieu of a
draft report.
(ii) These reports shall contain, at
minimum, the following:
(A) Dates and times (begin and end)
of all marine mammal monitoring;
(B) Construction activities occurring
during each daily observation period,
including the number and type of piles
driven or removed and by what method
(i.e., impact or vibratory) and the total
equipment duration for vibratory or
DTH for each pile or total number of
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strikes for each pile (impact driving,
DTH);
(C) PSO locations during marine
mammal monitoring;
(D) Environmental conditions during
monitoring periods (at beginning and
end of PSO shift and whenever
conditions change significantly),
including Beaufort sea state and any
other relevant weather conditions
including cloud cover, fog, sun glare,
and overall visibility to the horizon, and
estimated observable distance;
(E) Upon observation of a marine
mammal, the following information:
Name of PSO who sighted the animal(s)
and PSO location and activity at time of
sighting; time of sighting; identification
of the animal(s) (e.g., genus and species,
lowest possible taxonomic level, or
unidentified), PSO confidence in
identification, and the composition of
the group if there is a mix of species;
distance and bearing of each marine
mammal observed relative to the pile
being driven for each sighting (if pile
driving was occurring at time of
sighting); estimated number of animals
(min, max, and best estimate); estimated
number of animals by cohort (adults,
juveniles, neonates, group composition,
etc.); animal’s closest point of approach
and estimated time spent within the
harassment zone; and description of any
marine mammal behavioral observations
(e.g., observed behaviors such as feeding
or traveling), including an assessment of
behavioral responses thought to have
resulted from the activity (e.g., no
response or changes in behavioral state
such as ceasing feeding, changing
direction, flushing, or breaching);
(F) Number of marine mammals
detected within the harassment zones,
by species; and
(G) Detailed information about any
implementation of any mitigation
triggered (e.g., shutdowns and delays), a
description of specific actions that
ensued, and resulting changes in
behavior of the animal(s), if any.
(2) Coast Guard shall submit a
comprehensive summary report to
NMFS not later than 90 days following
the conclusion of marine mammal
monitoring efforts described in this
subpart.
(3) All draft and final monitoring
reports must be submitted to
PR.ITP.MonitoringReports@noaa.gov
and ITP.Hotchkin@noaa.gov.
(f) Reporting of injured or dead
marine mammals. (1) In the event that
personnel involved in the construction
activities discover an injured or dead
marine mammal, the LOA-holder must
immediately cease the specified
activities and report the incident to the
Office of Protected Resources
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26465
(PR.ITP.MonitoringReports@noaa.gov
and ITP.Hotchkin@noaa.gov), NMFS
and to Alaska Regional Stranding
Coordinator as soon as feasible. If the
death or injury was likely caused by the
specified activity, the Coast Guard must
immediately cease the specified
activities until NMFS is able to review
the circumstances of the incident and
determine what, if any, additional
measures are appropriate to ensure
compliance with the terms of the
regulations under this subpart and
LOAs. The LOA-holder must not resume
their activities until notified by NMFS.
The report must include the following
information:
(i) Time, date, and location (latitude/
longitude) of the first discovery (and
updated location information if known
and applicable);
(ii) Species identification (if known)
or description of the animal(s) involved;
(iii) Condition of the animal(s)
(including carcass condition if the
animal is dead);
(iv) Observed behaviors of the
animal(s), if alive;
(v) If available, photographs or video
footage of the animal(s); and
(vi) General circumstances under
which the animal was discovered.
(2) [Reserved]
§ 217.196
Letters of Authorization.
(a) To incidentally take marine
mammals pursuant to the regulations
under this subpart, the Coast Guard
must apply for and obtain an LOA.
(b) An LOA, unless suspended or
revoked, may be effective for a period of
time not to exceed the expiration date
of the regulations under this subpart.
(c) If an LOA expires prior to the
expiration date of the regulations under
this subpart, the Coast Guard may apply
for and obtain a renewal of the LOA.
(d) In the event of projected changes
to the activity or to mitigation and
monitoring measures required by an
LOA, the Coast Guard must apply for
and obtain a modification of the LOA as
described in § 217.197.
(e) The LOA shall set forth:
(1) Permissible methods of incidental
taking;
(2) Means of effecting the least
practicable adverse impact (i.e.,
mitigation) on the species, its habitat,
and on the availability of the species for
subsistence uses; and
(3) Requirements for monitoring and
reporting.
(f) Issuance of the LOA shall be based
on a determination that the level of
taking will be consistent with the
findings made for the total taking
allowable under the regulations of this
subpart.
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(g) Notice of issuance or denial of an
LOA shall be published in the Federal
Register within 30 days of a
determination.
§ 217.197 Renewals and modifications of
Letters of Authorization.
ddrumheller on DSK120RN23PROD with PROPOSALS2
(a) An LOA issued under § 216.106 of
this chapter and § 217.196 for the
activity identified in § 217.190(a) shall
be renewed or modified upon request by
the applicant, provided that:
(1) The proposed specified activity
and mitigation, monitoring, and
reporting measures, as well as the
anticipated impacts, are the same as
those described and analyzed for the
regulations under this subpart
(excluding changes made pursuant to
the adaptive management provision in
paragraph (c)(1) of this section); and
(2) NMFS determines that the
mitigation, monitoring, and reporting
measures required by the previous LOA
under the regulations of this subpart
were implemented.
(b) For LOA modification or renewal
requests by the applicant that include
changes to the activity or the mitigation,
monitoring, or reporting (excluding
changes made pursuant to the adaptive
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management provision in paragraph
(c)(1) of this section) that do not change
the findings made for the regulations in
this subpart or result in no more than a
minor change in the total estimated
number of takes (or distribution by
species or years), NMFS may publish a
notice of proposed LOA in the Federal
Register, including the associated
analysis of the change, and solicit
public comment before issuing the LOA.
(c) An LOA issued under § 216.106 of
this chapter and § 217.196 for the
activity identified in § 217.190(a) may
be modified by NMFS under the
following circumstances:
(1) Adaptive management. NMFS may
modify (including augment) the existing
mitigation, monitoring, or reporting
measures (after consulting with the
Coast Guard regarding the practicability
of the modifications) if doing so creates
a reasonable likelihood of more
effectively accomplishing the goals of
the mitigation and monitoring.
(i) Possible sources of data that could
contribute to the decision to modify the
mitigation, monitoring, or reporting
measures in an LOA:
(A) Results from the Coast Guard’s
monitoring from the previous year(s).
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(B) Results from other marine
mammal and/or sound research or
studies.
(C) Any information that reveals
marine mammals may have been taken
in a manner, extent, or number not
authorized by the regulations under this
subpart or subsequent LOAs.
(ii) If, through adaptive management,
the modifications to the mitigation,
monitoring, or reporting measures are
substantial, NMFS will publish a notice
of proposed LOA in the Federal
Register and solicit public comment.
(2) Emergencies. If NMFS determines
that an emergency exists that poses a
significant risk to the well-being of the
species or stocks of marine mammals
specified in LOAs issued pursuant to
§ 216.106 of this chapter and § 217.196,
an LOA may be modified without prior
notice or opportunity for public
comment. Notice would be published in
the Federal Register within 30 days of
the action.
§§ 217.198–217.199
[Reserved]
[FR Doc. 2023–08719 Filed 4–27–23; 8:45 am]
BILLING CODE 3510–22–P
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Agencies
[Federal Register Volume 88, Number 82 (Friday, April 28, 2023)]
[Proposed Rules]
[Pages 26432-26466]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2023-08719]
[[Page 26431]]
Vol. 88
Friday,
No. 82
April 28, 2023
Part III
Department of Commerce
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50 CFR Part 217
Taking and Importing Marine Mammals; Taking Marine Mammals Incidental
to the U.S. Coast Guard's Alaska Facility Maintenance and Repair
Activities; Proposed Rule
Federal Register / Vol. 88 , No. 82 / Friday, April 28, 2023 /
Proposed Rules
[[Page 26432]]
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
50 CFR Part 217
[Docket No. 230420-0108]
RIN 0648-BK57
Taking and Importing Marine Mammals; Taking Marine Mammals
Incidental to the U.S. Coast Guard's Alaska Facility Maintenance and
Repair Activities
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Proposed rule; request for comments.
-----------------------------------------------------------------------
SUMMARY: NMFS has received a request from the U.S. Coast Guard (Coast
Guard) for authorization to take marine mammals incidental to
conducting construction activities related to maintenance and repair at
facilities in Alaska over the course of 5 years (2023-2028). As
required by the Marine Mammal Protection Act (MMPA), NMFS is proposing
regulations to govern that take, and requests comments on the proposed
regulations.
DATES: Comments and information must be received no later than May 30,
2023.
ADDRESSES: Submit all electronic public comments via the Federal e-
Rulemaking Portal. Go to www.regulations.gov and enter NOAA-NMFS-2022-
0023 in the Search box. Click on the ``Comment'' icon, complete the
required fields, and enter or attach your comments.
Instructions: Comments sent by any other method, to any other
address or individual, or received after the end of the comment period,
may not be considered by NMFS. All comments received are a part of the
public record and will generally be posted for public viewing on
www.regulations.gov without change. All personal identifying
information (e.g., name, address), confidential business information,
or otherwise sensitive information submitted voluntarily by the sender
will be publicly accessible. NMFS will accept anonymous comments (enter
``N/A'' in the required fields if you wish to remain anonymous).
Attachments to electronic comments will be accepted in Microsoft Word,
Excel, or Adobe PDF file formats only.
FOR FURTHER INFORMATION CONTACT: Cara Hotchkin, Office of Protected
Resources, NMFS, (301) 427-8401.
SUPPLEMENTARY INFORMATION:
Availability
A copy of the Coast Guard's application and any supporting
documents, as well as a list of the references cited in this document,
may be obtained online at: www.fisheries.noaa.gov/national/marine-mammal-protection/incidental-take-authorizations-construction-activities. In case of problems accessing these documents, please call
the contact listed above (see FOR FURTHER INFORMATION CONTACT).
Purpose and Need for Regulatory Action
We received an application from Coast Guard requesting 5-year
regulations and authorization to take multiple species of marine
mammals. This proposed rule would establish a framework under the
authority of the MMPA (16 U.S.C. 1361 et seq.) to allow for the
authorization of take of marine mammals incidental to the Coast Guard's
construction activities related to maintenance and repair at facilities
in Alaska.
Legal Authority for the Proposed Action
Section 101(a)(5)(A) of the MMPA (16 U.S.C. 1371(a)(5)(A)) directs
the Secretary of Commerce 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 for up to five years
if, after notice and public comment, the agency makes certain findings
and issues regulations that set forth permissible methods of taking
pursuant to that activity and other means of effecting the ``least
practicable adverse impact'' on the affected species or stocks and
their habitat (see the discussion below in the Proposed Mitigation
section), as well as monitoring and reporting requirements. Section
101(a)(5)(A) of the MMPA and the implementing regulations at 50 CFR
part 216, subpart I provide the legal basis for issuing this proposed
rule containing 5-year regulations, and for any subsequent Letters of
Authorization (LOAs). As directed by this legal authority, this
proposed rule contains mitigation, monitoring, and reporting
requirements.
Summary of Major Provisions Within the Proposed Rule
Following is a summary of the major provisions of this proposed
rule regarding Coast Guard construction activities. These measures
include:
Required monitoring of the construction areas to detect
the presence of marine mammals before beginning construction
activities.
Shutdown of construction activities under certain
circumstances to avoid injury of marine mammals.
Soft start for impact pile driving to allow marine mammals
the opportunity to leave the area prior to beginning impact pile
driving at full power.
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 issued or, if the taking is limited to harassment, a notice of a
proposed incidental take authorization may be 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 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.
National Environmental Policy Act
To comply with the National Environmental Policy Act of 1969 (NEPA;
42 U.S.C. 4321 et seq.) and NOAA Administrative Order (NAO) 216-6A,
NMFS must evaluate our proposed action (i.e., the promulgation of
regulations and subsequent issuance of incidental take authorization)
and alternatives with respect to potential impacts on the human
environment.
This action is consistent with categories of activities identified
in Categorical Exclusion B4 of the Companion Manual for NAO 216-6A,
which do not individually or
[[Page 26433]]
cumulatively have the potential for significant impacts on the quality
of the human environment and for which we have not identified any
extraordinary circumstances that would preclude this categorical
exclusion. Accordingly, NMFS has preliminarily determined that the
proposed action qualifies to be categorically excluded from further
NEPA review.
Information in the Coast Guard's application and this document
collectively provide the environmental information related to proposed
issuance of these regulations and subsequent incidental take
authorization for public review and comment. We will review all
comments submitted in response to this document prior to concluding our
NEPA process or making a final decision on the request for incidental
take authorization.
Summary of Request
On March 15, 2021, NMFS received an application from the Coast
Guard requesting authorization for take of marine mammals incidental to
construction activities related to maintenance and repair at eight
Coast Guard facilities in Alaska. On November 24, 2021 (86 FR 67023),
we published a notice of receipt of the Coast Guard's application in
the Federal Register, requesting comments and information related to
the request for 30 days. We received no public comments. After the
applicant responded to our questions and redrafted the application, we
determined the application was adequate and complete on January 19,
2022. On August 12, 2022, the Coast Guard submitted a minor
modification to their application (to include vibratory driving of
composite piles as part of the specified activity).
The Coast Guard proposes to conduct construction necessary for
maintenance and repair of existing in-water structures at the following
eight Coast Guard station facilities in Alaska: Kodiak, Sitka,
Ketchikan, Valdez, Cordova, Juneau, Petersburg, and Seward. These
repairs would include installation and removal of steel, concrete, and
timber piles, involving use of impact and vibratory hammers and Down-
The-Hole drilling (DTH) equipment, and removal of piles by cutting,
clipping, or vibration. Maintenance activities may also include
underwater power washing. Up to 245 piles will be removed and replaced
on a 1 to 1 basis (i.e., total pile numbers at these facilities are
expected to remain the same) over the 5-year period of effectiveness
for the regulations. Hereafter (unless otherwise specified or detailed)
we use the term ``pile driving'' to refer to both pile installation and
pile removal. The use of vibratory, DTH, and impact pile driving
equipment expected to produce underwater sound at levels that have the
potential to result in harassment of marine mammals.
The Coast Guard requests authorization to take individuals of 14
species by Level B harassment and, for an additional 3 species (harbor
seal, harbor porpoise, and Dall's porpoise), by Level A harassment. The
proposed regulations would be valid for 5 years (2023-2028).
Description of the Specified Activity
Overview
Maintaining existing wharfs and piers is vital to sustaining the
Coast Guard's mission and ensuring readiness. To ensure continuance of
necessary missions at the eight facilities, the Coast Guard must
conduct annual maintenance and repair activities at existing marine
waterfront structures, including removal and replacement or repair of
piles of various types and sizes. Exact timing and amount of necessary
in-water work is unknown, but the Coast Guard estimates replacing up to
245 structurally unsound piles over the 5-year period, including
individual actions currently planned and estimates for future marine
structure repairs. Construction will include use of impact, DTH, and
vibratory pile driving, including removal and installation of steel,
concrete, composite, and timber piles. Pile removal may occur by
various cutting or clipping methods and power washing may occur on some
piles being repaired. Pile cutting, clipping, and power washing, and
certain other activities (e.g., deck repair, moving of rip-rap, etc.)
are not anticipated to have the potential to result in incidental take
of marine mammals because they are either above water, do not last for
sufficient duration to present the reasonable potential for disruption
of behavioral patterns, do not produce sound levels with likely
potential to result in marine mammal harassment, or some combination of
the above.
The Coast Guard's inspection program prioritizes deficiencies in
marine structures and plans those maintenance and repairs for design
and construction. The Coast Guard's proposed activities include
individual projects (where an existing need has been identified) and
estimates for ongoing repairs. Estimates of activity levels for ongoing
repairs are based on Coast Guard surveys of existing structures, which
provide assessments of structure condition and estimates of numbers of
particular pile types that may require replacement (at an assumed 1:1
ratio) over the 5-year duration of these proposed regulations.
Additional allowance is made for the likelihood that future waterfront
inspections will reveal unexpected damage, or that damage caused by
severe weather events and/or incidents caused by vessels will result in
need for additional contingency repairs. This regional programmatic
approach to MMPA compliance is expected to allow for efficient
compliance for the Coast Guard, while satisfying the requirements of
the MMPA. The detailed discussion of planned or anticipated projects
provided here and in the Coast Guard's application allow for more
comprehensive analysis, while providing a reduction in the time and
effort that could be required to obtain individual incidental take
authorizations. LOAs could be issued for projects conducted at any or
all of the eight facilities if they fit within the structure of the
programmatic analysis provided herein and are able to meet the
requirements described in the regulations.
The Coast Guard would report to NMFS on an annual basis prior to
the start of in-water work windows to review results of relevant
projects conducted in the preceding in-water work window and propose
upcoming projects. The intent is to utilize lessons learned to better
inform potential effects of future activities through adaptive
management.
Dates and Duration
The proposed regulations would be valid for a period of 5 years
from the date of issuance. The specified activities may occur at any
time during the 5-year period of validity of the proposed regulations,
subject to existing timing restrictions. These timing restrictions, or
in-water work windows, are designed to protect fish species listed
under the Endangered Species Act (ESA) as well as marine mammals under
the MMPA. No work would occur outside these work windows unless
necessary for the safety and stability of the structure. Work windows
for the eight facilities are described in Table 1. Pile driving could
occur on any day within in-water work windows during the period of
validity of these proposed regulations.
[[Page 26434]]
Table 1--In-Water Work Windows for Each Facility
------------------------------------------------------------------------
Period of no in-
Facility water work Notes
------------------------------------------------------------------------
Kodiak........................ May 1-June 30.... pink salmon fry and
coho salmon smolts.
Sitka......................... March 1-October 1 herring spawning and
summer prey feeding.
Ketchikan..................... April 1-June 30.. outmigrating juvenile
salmon.
Valdez........................ March 1-October 1 herring spawning and
summer prey feeding,
whale presence,
Steller sea lion
breeding.
Cordova....................... March 1-October 1 herring spawning and
summer prey feeding,
whale presence,
Steller sea lion
breeding.
Juneau........................ May 1-June 30.... pink and chum salmon
fry and coho and
Chinook salmon
smolt, hatchery net
pen species.
Petersburg.................... April 1-June 30.. outmigrating juvenile
salmon.
Seward........................ May 1-June 30.... pink salmon fry and
coho salmon smolts.
------------------------------------------------------------------------
For many projects the design details are not known in advance;
thus, it is not possible to state the exact number of pile driving days
that will be required. Days of pile driving at each site were based on
the estimated work days using a slow production rate, i.e., one pile
removed per day and one pile installed per day. These conservative
rates give the following estimates of total days at each facility over
the 5-year duration: Kodiak: 100 days, Sitka: 50 days, Ketchikan: 100
days, Valdez: 15 days, Cordova: 6 days, Juneau: 100 days, Petersburg:
20 days, and Seward: 4 days. These totals include both removal and
installation of piles, and represent a conservative estimate of pile
driving days at each facility. In a real construction situation, pile
driving production rates would be maximized when possible and actual
daily production rates may be higher, resulting in fewer actual pile
driving days.
Specified Geographical Region
The eight facilities are located within the coastal waters of the
Gulf of Alaska (Figure 1). For full details regarding the facilities
and specified geographical region, please see sections 1.3 and 2,
respectively, of the Coast Guard's application.
[GRAPHIC] [TIFF OMITTED] TP28AP23.001
Figure 1--Location of the Eight Facilities
Coast Guard Base Kodiak is located on Womens Bay, a largely
enclosed arm of the larger Chiniak Bay on the northeast side of Kodiak
Island, Alaska's largest island. Womens Bay is separated from the rest
of Chiniak Bay by Nyman Peninsula providing a protected harbor for
Coast Guard vessels. Coast Guard vessels are the primary users of
Womens Bay; however, a sea plane runway is present at the mouth of the
bay and barges regularly transit Womens Bay.
[[Page 26435]]
Two of the three piers (the Fuel Pier and Cargo Wharf) at Base Kodiak
need periodic maintenance and repair, while the Marginal Wharf is
currently being evaluated for demolition. Any actions related to the
Marginal Wharf would occur under a separate action. Because there is
the potential for contaminated sediments at this location, no pressure
washing will occur.
The Coast Guard's Sitka Moorings are located near Sitka Harbor on
the Sitka Channel separating Japonski Island from the larger Baranof
Island. The Sitka Channel connects the Eastern Anchorage southeast of
Sitka to the Western Anchorage northwest of the town. Beyond Coast
Guard vessels, typical vessel traffic within the Sitka Channel includes
private watercraft, commercial fishing vessels, and seaplanes.
Base Ketchikan is situated on Revillagigedo Island, which is
separated from nearby Pennock Island by the East Channel of the Tongass
Narrows. At Base Ketchikan, the Tongass Narrows are approximately 2,000
ft (610 meters (m)) across with steep surface bathymetry reaching a
maximum mid-channel depth of over 100 ft (30 m). The Tongass Narrows
are a busy passage frequented by private and commercial vehicles,
including large cruise ships servicing the cruise terminal in Ketchikan
(north of Base Ketchikan).
The Coast Guard's Valdez moorings are located west of the entrance
to Valdez Harbor located on Port Valdez, itself part of the Valdez Arm
of Prince William Sound. Port Valdez is the U.S.' northernmost ice-free
port and non-Coast Guard vessel traffic in the immediate vicinity of
the Valdez moorings includes private craft and commercial cargo
vessels. The Valdez Marine Terminal is located 2.3 miles (3.7
kilometers (km)) south of the Valdez moorings and is the offshoring
point for petroleum products transported via the Trans-Alaska Pipeline,
with corresponding oil tanker traffic through the area. Depths adjacent
to the Valdez moorings fall off steeply from approximately 13 ft (4 m)
at the entrance to Valdez Harbor to over 600 ft (183 m) along the
centerline of the Valdez Arm.
The dock used by the Coast Guard at Cordova is owned by the City of
Cordova and is located on the Cordova waterfront on Orca Inlet, which
separates the mainland from Hawkins Island. Orca Inlet is generally
shallow reaching depths of 75 ft (23 m) at the deepest parts of the
channel with significantly more shallow depths closer to Hawkins and
Observation Islands.
The Coast Guard wharf at Station Juneau is on the southeast facing
portion of the Juneau waterfront on the Gastineau Channel separating
the North American mainland (Juneau) from Douglas Island. The Gastineau
Channel is accessible to large vessels up to the bridge linking Douglas
Island to the mainland and navigable by smaller vessels for its entire
length. The Channel is generally shallow in the northern section but up
to 35 ft (10.7 m) deep adjacent to the wharf frontage and up to 100 ft
(30 m) in the mid-channel south of Station Juneau.
The Coast Guard moorings in Petersburg are located within
Petersburg Harbor, which supports the area's commercial fishing
industry. Petersburg is located at the northern end of the Wrangell
Narrows separating Mitkof and Kupreanof Islands near the confluence
with the Frederick Sound. The Narrows are generally only used by
fishing boats and Alaska Marine Highway ferries as it is too shallow
and narrow for use by larger vessels. Depths adjacent to the Petersburg
Moorings are approximately 20 ft (6 m).
The dock used by the Coast Guard in Seward is owned by the City of
Seward and is located within Seward Harbor. The Seward Harbor
breakwaters separate the harbor and moorings from the main body of
Resurrection Bay. Seward Harbor itself serves smaller craft, with
larger cruise ships and ferries using facilities just east of the
harbor. Depths within the harbor, including the harbor entrance, range
between 12 and 15 ft (4-5 m).
Detailed Description of Activities
As described above, the Coast Guard has requested incidental take
regulations for its maintenance and repair program, which includes
maintenance and repair activities at marine waterfront structures at
eight facilities within the Gulf of Alaska. In order to address
identified deficiencies in existing marine structures at the 8
facilities, the Coast Guard proposes to replace up to 245 structurally
unsound piles over the 5-year period using methods including impact and
vibratory pile driving, and DTH to make holes. Existing marine
structures at the eight facilities are described in detail in section
6.8 of the Coast Guard's application and details of pile maintenance
and repair activity are summarized in Table 2.
Table 2--In-Water Maintenance Activity for Each Coast Guard Facility
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Number and material of pile replacements
Facility -----------------------------------------------------------------------------------------------------------------------
Year 1 Year 2 Year 3 Year 4 Year 5 Maximum total
--------------------------------------------------------------------------------------------------------------------------------------------------------
Kodiak.......................... 20 timber * or 20 timber * or 20 timber * or 20 timber * or 20 timber * or 100.
steel. steel. steel. steel. steel.
Sitka **........................ Replace 5 piles... Replace 5 piles... Replace 5 piles... Replace 5 piles... Replace 5 piles... 25 piles replaced.
Ketchikan **.................... Replace 10-15 Replace 10-15 Replace 10-15 Replace 10-15 Replace 10-15 50 piles replaced.
timber * piles. timber * piles. timber * piles. timber * piles. timber * piles.
Valdez **....................... Replace 1 timber * Replace 1 timber * Replace 1 timber * Replace 1 timber * Replace 1 timber * 6 piles replaced.
pile. pile. pile. pile, replace 1 pile.
steel guide pile.
Cordova......................... .................. Replace 3 steel .................. .................. .................. 3 piles replaced.
piles.
Juneau **....................... Replace 10 timber Replace 10 timber Replace 10 timber Replace 10 timber Replace 10 timber 50 piles replaced.
* piles. * piles. * piles. * piles. * piles.
Petersburg **................... Replace 2 fender Replace 2 fender Replace 2 fender Replace 2 fender Replace 2 fender 10 fender piles
piles. piles. piles. piles. piles. replaced.
Seward.......................... .................. .................. Replace 1 steel .................. .................. 1 pile replaced.
pile.
Total Replaced.................. 53................ 56................ 53................ 54................ 52................ 245 piles
replaced.***
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* Timber piles will be preferentially replaced with composite piles where technically possible.
** These facilities will also conduct pile repairs; see text for full description of repair methods.
*** Yearly pile numbers may add up to be larger than the number reported here to allow for flexibility between years. Piles replaced may not exceed
yearly maximum totals.
The project includes pile repair, extraction, and installation, all
of which may be accomplished through a variety of methods. However,
only extraction and installation using DTH equipment and vibratory and
impact pile drivers
[[Page 26436]]
are expected to have the potential to result in incidental take of
marine mammals. Pile repair methods include sleeve or jacket
replacement, pressure washing, rub strip and ladder replacement,
wrapping, pile encapsulation, painting, coating, and replacement of
treated wood decking. These processes do not involve pile driving or
long durations of other loud sound sources and are not expected to have
the potential to result in incidental take of marine mammals. Pile
removal may be accomplished via mechanical methods such as clipping,
clamshell removal, or direct pull. Noise levels produced through these
activities are not expected to exceed baseline levels produced by other
routine activities and operations at the eight facilities, and any
elevated noise levels produced through these activities are expected to
produce intermittent (and generally continuous) noise, be of short
duration, or of low peak values. Therefore, only DTH, vibratory, and
impact pile driving are carried forward for further analysis.
Vibratory hammers, which can be used to either install or extract a
pile, contain a system of counter-rotating eccentric weights powered by
hydraulic motors, and are designed in such a way that horizontal
vibrations cancel out, while vertical vibrations are transmitted into
the pile. The pile driving machine is lifted and positioned over the
pile by means of an excavator or crane, and is fastened to the pile by
a clamp and/or bolts. The vibrations produced cause liquefaction of the
substrate surrounding the pile, enabling the pile to be extracted or
driven into the ground using the weight of the pile plus the hammer.
Impact hammers use a rising and falling piston to repeatedly strike
a pile and drive it into the ground. Steam, hydraulic and pneumatic
hammers use compressed fluids to create the force to raise or drive a
piston weight. A diesel hammer works much like a car engine with fuel
injected into a combustion chamber where the fuel is then ignited and
the force of the explosion drives a piston, which pushes the pile down
with great force.
DTH systems create holes by combining impact forces from a
hydraulically or pneumatically controlled piston and hammer that
directly impact the substrate along with a rotating drill function,
aided by an intricate series of rock cutting bits on the end of the
hammer.
Steel piles are typically vibratory-driven for their initial
embedment depths or to refusal and finished with an impact hammer for
proofing or until the pile meets structural requirements, as necessary.
Where structural requirements necessitate stronger support piles may
need to be driven into bedrock substrates. DTH systems are used for
this purpose. Proofing involves striking a driven pile with an impact
hammer to verify that it provides the required load-bearing capacity,
as indicated by the number of hammer blows per foot of pile
advancement. Non-steel piles (concrete, timber, composite) are
typically impact-driven for their entire embedment depth, in part
because non-steel piles are often displacement piles (as opposed to
pipe piles) and require some impact to allow substrate penetration.
Pile installation can range from under one minute to 60 minutes
depending on pile type, pile size, and conditions (i.e., bedrock, loose
soils, etc.) to reach the required tip elevation. DTH can typically
take multiple hours depending on the equipment, rock hardness, and
required hole depth, though the process is dynamic and driving is not
continuous.
The most effective and efficient method of pile driving available
would be implemented in each case. The method fitting these criteria
may vary based on specific project requirements and local conditions.
Impact driving, while generally producing higher levels of sound, also
minimizes the net amount of active driving time, thus reducing the
amount of time during which marine mammals may be exposed to noise.
Impact, DTH, or vibratory pile driving could occur on any day but would
not occur simultaneously. Location-specific pile totals are given in
Table 2 and described below. These totals assume a 1:1 replacement
ratio; however, the actual number installed may result in a replacement
ratio of less than 1:1.
Steel, concrete, timber, and composite piles will all be a maximum
of 24-inch (0.61 m) diameter. For purposes of analysis, it is assumed
that any unknown pile type would be steel, since this would give a
worst-case scenario in terms of loudest noise levels produced. All
concrete, composite, and timber piles are assumed to be installed
entirely by impact pile driver, and all steel piles are assumed to
require some use of an impact driver. This is a conservative
assumption, as all steel piles would be initially driven with a
vibratory driver until they reach a point of refusal (where substrate
conditions make use of a vibratory hammer ineffective) or engineering
specifications require impact driving to verify load-bearing capacity.
Therefore, some steel piles may not in fact require use of the impact
driver during installation. DTH will only be used at Ketchikan and
Kodiak.
At this time, of the 245 piles expected to be extracted, 5 have
been identified as steel piles (3 at Cordova, 1 each at Seward and
Valdez) and 106 as timber piles (50 each at Ketchikan and Juneau, 5 at
Valdez, and 1 at Seward). The remaining piles have not been identified
to type and so for analysis will be considered to be steel, typically
the loudest type. Replacement will often be of the same type, but could
include different materials, though diameters will generally be the
same. Replacements for extracted timber piles will typically be
composite piles of similar diameter.
Pile driving could occur on any work day within in-water work
windows during the period of validity of these proposed regulations.
Proposed mitigation, monitoring, and reporting measures are described
in detail later in this document (please see Proposed Mitigation and
Proposed Monitoring and Reporting).
Description of Marine Mammals in the Area of the Specified Activity
We have reviewed the Coast Guard's species descriptions that
summarize available information regarding status and trends,
distribution and habitat preferences, behavior and life history, and
auditory capabilities of the potentially affected species, for accuracy
and completeness and refer the reader to Sections 3 and 4 of the
application, instead of reprinting all of the information here.
Additional information regarding population trends and threats may be
found in NMFS' Stock Assessment Reports (SAR; 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' website
(www.fisheries.noaa.gov/find-species).
Table 3 lists all species or stocks for which take is expected and
proposed to be authorized for this action and summarizes information
related to the population or stock, including regulatory status under
the MMPA and ESA and potential biological removal (PBR), where known.
PBR, 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, is considered in concert with known sources of
ongoing anthropogenic mortality (as described in NMFS' SARs).
[[Page 26437]]
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' 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 the specified geographical
regions are assessed in either NMFS' U.S. Alaska SARs or U.S. Pacific
SARs. All values presented in Table 3 are the most recent available at
the time of writing and are available in the draft 2022 SARs (available
online at: https://www.fisheries.noaa.gov/national/marine-mammal-protection/marine-mammal-stock-assessment-reports-species-stock).
Table 3--Species Likely Impacted by the Specified Activities
--------------------------------------------------------------------------------------------------------------------------------------------------------
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 Balaenopteridae (rorquals):
Humpback whale.................. Megaptera novaeangliae. Central North Pacific.. -, -, Y 10,103 (0.30, 7,891, 83 26
2006).
Western North Pacific.. E, D, Y 1,107, (0.30, 865, 3 2.8
2006).
Fin whale....................... Balaenoptera physalus.. Northeast Pacific...... E, D, Y UND (UND, UND, 2013).. UND 0.6
Minke whale..................... Balaenoptera Alaska................. -, -, N N/A (N/A, N/A, N/A) UND 0
acutorostrata. \4\.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Superfamily Odontoceti (toothed whales, dolphins, and porpoises)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Delphinidae:
Killer whale.................... Orcinus orca........... Eastern North Pacific -, -, N 1,920 (N/A, 1,920, 19 1.3
Alaska Resident. 2009).
Eastern North Pacific -, -, N 587 (N/A, 587, 2012).. 5.9 0.8
Gulf of Alaska,
Aleutian Islands,
Bearing Sea Transient.
Eastern North Pacific -, -, N 302 (N/A, 302, 2018).. 2.2 0.2
Northern Resident.
AT1 Transient.......... -, D, Y 7 (N/A, 7, 2019)...... 0.1 0
West Coast Transient... -, -, N 349 (N/A, 349, 2018).. 3.5 0.4
Pacific white-sided dolphin..... Lagenorhynchus North Pacific.......... -, -, N 26,880 (UND, UND, UND 0
obliquidens. 1990).
Family Phocoenidae (porpoises):
Dall's porpoise \5\............. Phocoenoides dalli..... Alaska................. -, -, N UND (UND, UND, 2015).. UND 37
Harbor porpoise \6\............. Phocoena phocoena...... Southeast Alaska....... -, -, Y 1,302 (0.21, 1,057, 11 34
2019).
Gulf of Alaska......... -, -, Y 31,046 (0.21, N/A, UND 72
1998).
--------------------------------------------------------------------------------------------------------------------------------------------------------
Order Carnivora--Superfamily Pinnipedia
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Otariidae (eared seals and
sea lions):
California sea lion............. Zalophus californianus. U.S.................... -, -, N 257,606 (N/A, 233,515, 14,011 >321
2014).
Northern fur seal............... Callorhinus ursinus.... Eastern Pacific........ -, D, Y 626,618 (0.2, 530,376, 11,403 373
2019).
Steller sea lion................ Eumetopias jubatus..... Eastern................ -,-, N 43,201 (N/A, 43,201, 2,592 112
2017).
Eumetopias jubatus..... Western................ E, D, Y 52,932 (N/A, 52,932, 318 254
2019).
Family Phocidae (earless seals):
Harbor seal..................... Phoca vitulina......... Prince William Sound... -, -, N 44,756 (N/A, 41,776, 1,253 413
2015).
Lynn Canal/Stephens -, -, N 13,388 (N/A, 11,867, 214 50
Passage. 2016).
Sitka/Chatham Straight. -, -, N 13,289 (N/A, 11,883, 356 77
2015).
Clarence Strait........ -, -, N 27,659 (N/A, 24,854, 746 40
2015).
South Kodiak........... -, -, N 26,448 (N/A, 22,351, 939 127
2017).
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ 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: https://www.fisheries.noaa.gov/national/marine-mammal-protection/marine-mammal-stock-assessments/ assessments/. CV is coefficient of variation; Nmin is the minimum estimate of stock abundance. In some cases, CV is not applicable (N/A). UND
indicates data unavailable.
\3\ These values, found in NMFS' SARs, represent annual levels of human-caused mortality plus serious injury (M/SI) from all sources combined (e.g.,
commercial fisheries, ship strike). Annual M/SI often cannot be determined precisely and is in some cases presented as a minimum value or range. A CV
associated with estimated mortality due to commercial fisheries is presented in some cases.
\4\ No population estimates have been made for the number of minke whales in the entire North Pacific. Some information is available on the numbers of
minke whales in some areas of Alaska, but in the 2009, 2013, and 2015 offshore surveys, so few minke whales were seen during the surveys that a
population estimate for the species in this area could not be determined (Rone et al., 2017). Therefore, this information is N/A (not available).
\5\ Previous abundance estimates covering the entire stock's range are no longer considered reliable and the current estimates presented in the SARs and
reported here only cover a portion of the stock's range. Therefore, the calculated Nmin and PBR is based on the 2015 survey of only a small portion of
the stock's range. PBR is considered to be biased low since it is based on the whole stock whereas the estimate of mortality and serious injury is for
the entire stock's range.
\6\ Abundance estimates assumed that detection probability on the trackline was perfect; work is underway on a corrected estimate. Additionally,
preliminary data results based on environmental DNA analysis show genetic differentiation between harbor porpoise in the northern and southern regions
on the inland waters of southeast Alaska. Geographic delineation is not yet known. Data to evaluate population structure for harbor porpoise in
Southeast Alaska have been collected and are currently being analyzed. Should the analysis identify different population structure than is currently
reflected in the Alaska SARs, NMFS will consider how to best revise stock designations in the future.
[[Page 26438]]
Twelve species (with 23 managed stocks) are considered to have the
potential to co-occur with Coast Guard activities to the degree that
take is likely to occur. Table 4 identifies which stocks are expected
to occur near each of the Coast Guard facilities. There are several
species or stocks that occur in Gulf of Alaska waters, but which are
not expected to occur in the vicinity of any of the eight Coast Guard
facilities. In addition, the sea otter is found in coastal waters.
However, sea otters are managed by the U.S. Fish and Wildlife Service
and are not considered further in this document.
BILLING CODE 3510-22-P
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BILLING CODE 3510-22-C
As indicated above, all 12 species (and 23 managed stocks) in Table
3 temporally and spatially co-occur with the activity to the degree
that take is reasonably likely to occur, and we have proposed
authorizing it. While Cuvier's beaked whales have been reported near
all eight project areas, the spatial occurrence of this species
generally offshore in deep water is such that take is not expected to
occur, and it is not discussed further beyond the explanation provided
here.
Gray Whale
Gray whales occur exclusively in the North Pacific Ocean. The
Eastern North Pacific stock of gray whales inhabit California and
Mexico in the winter months, and the Chukchi, Beaufort, and Bering Seas
in northern Alaska in the summer and fall. Gray whales have also been
observed feeding in waters off Southeast Alaska during the summer
(NMFS, 2022). The migration pattern of gray whales appears to follow a
route along the western coast of Southeast Alaska, traveling northward
from British Columbia through Hecate Strait and Dixon Entrance, passing
the west coast of Baranof Island from late March to May and then return
south in October and November (Jones et al., 1984, Ford et al., 2012).
Two populations of gray whales are recognized, the eastern and a
western North Pacific (ENP and WNP). WNP whales are known to feed in
the Okhotsk Sea and off of Kamchatka before migrating south to poorly
known wintering grounds, possibly in the South China Sea. The two
populations have historically been considered geographically isolated
from each other; however, data from satellite-tracked whales indicate
that there is some overlap between the stocks. Two WNP whales were
tracked from Russian foraging areas along the Pacific rim to Baja
California (Mate et al., 2011), and, in one case where the satellite
tag remained attached to the whale for a longer period, a WNP whale was
tracked from Russia to Mexico and back again (IWC, 2012). Between 22-24
WNP whales are known to have occurred in the eastern Pacific through
comparisons of ENP and WNP photo-identification catalogs (IWC, 2012;
Weller et al., 2011; Burdin et al., 2011). Urban et al. (2013) compared
catalogs of photo-identified individuals from Mexico with photographs
of whales off Russia and reported a total of 21 matches. Therefore, a
portion of the WNP population is assumed to migrate, at least in some
years, to the eastern Pacific during the winter breeding season.
However, it is extremely unlikely that a gray whale in close proximity
to Coast Guard construction activity would be one of the few WNP whales
that have been documented in the eastern Pacific. The likelihood that a
WNP whale would be present in the vicinity of Coast Guard construction
activities at all locations is insignificant and discountable, and WNP
gray whales are omitted from further analysis.
Kodiak, Sitka, and Juneau are within a gray whale migratory
corridor Biologically Important Area (BIA) (Ferguson et al., 2015).
Humpback Whale
Humpback whales are the most commonly observed baleen whale in
Alaska and have been observed in Southeast Alaska in all months of the
year (Baker et al., 1986). They undergo seasonal migration with more
whales present in Alaska from spring until fall. There are two
potential stocks of humpback whales that may occur in the project area:
the Central North Pacific stock and the Western North Pacific stock.
The Central North Pacific stock consists of winter/spring populations
of the Hawaiian Islands and Mexico, which migrate primarily to northern
British Columbia/Southeast Alaska, the Gulf of Alaska, and the Bering
Sea/Aleutian Islands (Baker et al., 1990; Perry et al., 1990;
Calambokidis et al., 1997). The Western North Pacific stock consists of
winter/spring populations off Asia, which migrate primarily to Russia
and the Bering Sea/Aleutian Islands. Members of the Western North
Pacific stock have the potential to occur at Base Kodiak and in the
vicinity of Seward moorings, whereas members of the Central North
Pacific stock have the potential to occur at any of the eight
facilities.
Prior to 2016, humpback whales were listed under the ESA as an
endangered species worldwide. Following a 2015 global status review
(Bettridge et al., 2015), NMFS established 14 DPSs with different
listing statuses (81 FR 62259, September 8, 2016) pursuant to the ESA.
The DPSs that occur in U.S. waters do not necessarily equate to the
existing stocks designated under the MMPA and shown in Table 3. Because
MMPA stocks cannot be portioned, i.e., parts managed as ESA-listed
while other parts managed as not ESA-listed, until such time as the
MMPA stock delineations are reviewed in light of the DPS designations,
NMFS considers the existing humpback whale stocks under the MMPA to be
endangered and depleted for MMPA management purposes.
Within Alaska waters, three current DPSs may occur: the Hawaii DPS
(not listed), the Western North Pacific DPS (endangered), and the
Mexico DPS (threatened). Humpback whales found in the project areas are
predominantly members of the Hawaii DPS (98 percent probability in
Southeast Alaska (Sitka, Ketchikan, Juneau, and Petersburg sites), 89
percent in the Gulf of Alaska (Kodiak, Seward, Valdez, and Cordova
sites), and 91 percent in the Aleutian Islands), which is not listed
under the ESA. However, based on a comprehensive photo-identification
study, members of the Mexico DPS, which is listed as threatened, have a
small potential to occur in all project locations (2 percent
probability in Southeast Alaska, 11 percent in Gulf of Alaska, and 7
percent in the Aleutian Islands), and members of the Western North
Pacific DPS have a small potential to occur in the Aleutian Islands (2
percent probability) and the Gulf of Alaska (1 percent probability)
(Wade 2021).
On January 24, 2023, NMFS published the draft 2022 SARs (https://
[[Page 26441]]
www.fisheries.noaa.gov/national/marine-mammal-protection/marine-mammal-
stock-assessment-reports-region). The Alaska and Pacific Ocean SARs
include proposed updates to the humpback whale and harbor porpoise
stock structures. The new humpback whale stock structure, if finalized,
would modify the MMPA-designated stocks to align more closely with the
ESA-designated DPSs. The new harbor porpoise stock structure, if
finalized, would split the Southeast Alaska stock into three new
stocks. Please refer to the draft 2022 Alaska (Young et al., 2023) and
Pacific Ocean SARs for additional information.
NMFS' Office of Protected Resources, Permits and Conservation
Division has generally considered peer-reviewed data in draft SARs
(relative to data provided in the most recent final SARs), when
available, as the best available science, and has done so in this
proposed rule for all species and stocks, with the exception of a new
proposal to revise humpback whale and harbor porpoise stock structures.
Given that the proposed changes involve application of NMFS' Guidance
for Assessing Marine Mammals Stocks and could be revised following
consideration of public comments, it is more appropriate to conduct our
analysis in this proposed rule based on the status quo stock structure
identified in the most recent final SARs (2021; Carretta et al., 2022;
Muto et al., 2022).
Critical habitat was recently finalized for the humpback whale in
Alaska (86 FR 21082, April 21, 2021). Designated critical habitat for
the Western North Pacific and Mexico DPSs overlaps Kodiak Island;
Cordova and Valdez are located near, but not within, critical habitat
for the Mexico DPS. Kodiak, Sitka, Juneau, and Petersburg are within
seasonal humpback whale feeding BIAs (Ferguson et al., 2015).
Fin Whale
The fin whale is widely distributed in all the world's oceans
(Gambell, 1985), but typically occurs in temperate and polar regions
from 20-70[deg] north and south of the Equator (Perry et al., 1999).
Fin whales occur in coastal, shelf, and oceanic waters. Sergeant (1977)
suggested that fin whales tend to follow steep slope contours, either
because they detect them readily or because biological productivity is
high along steep contours because of mixing. Stafford et al. (2009)
noted that sea-surface temperature is a good predictor variable for fin
whale call detections in the North Pacific.
Fin whales appear to have complex seasonal movements and are
seasonal migrants; they mate and calve in temperate waters during the
winter and migrate to feed at northern latitudes during the summer
(Gambell, 1985). The North Pacific population summers from the Chukchi
Sea to California and winters from California southwards (Gambell,
1985). Aggregations of fin whales are found year-round off southern and
central California (Dohl et al., 1980, 1983; Forney et al., 1995;
Barlow, 1997) and in the summer off Oregon (Green et al., 1992; Edwards
et al., 2015). Diet for the fin whale varies by location and
availability, but includes primarily krill, large copepods, some small
squid, and small schooling fish (Cooke, 2018). Much of foraging occurs
in spring, summer, and fall, with fasting or minimal feeding occurring
during winter. Fin whales are generally solitary but can also occur in
groups of two to seven individuals. Larger aggregations are usually due
to gatherings at concentrated food sources and individuals display no
social bonds (Wiles, 2017). The project site in Kodiak is just outside
the fin whale feeding BIA, which cuts off at the mouth of Chiniak Bay
where Base Kodiak is located.
Minke Whale
Minke whales are found throughout the northern hemisphere in polar,
temperate, and tropical waters. The International Whaling Commission
has identified three minke whale stocks in the North Pacific: one near
the Sea of Japan, a second in the rest of the western Pacific (west of
180[deg] W), and a third, less concentrated stock throughout the
eastern Pacific. NMFS further splits this third stock between Alaska
whales and resident whales of California, Oregon, and Washington (Muto
et al., 2018). Minke whales are found in all Alaska waters, however no
population estimates are currently available for the Alaska stock.
In Alaska, minke whales feed primarily on euphausiids and walleye
pollock. Minke whales are generally found in shallow, coastal waters
within 200 m (656 ft) of shore (Zerbini et al., 2006). Dedicated
surveys for cetaceans in southeast Alaska found that minke whales were
scattered throughout inland waters from Glacier Bay and Icy Strait to
Clarence Strait, with small concentrations near the entrance of Glacier
Bay. Surveys took place in spring, summer, and fall, and minke whales
were present in low numbers in all seasons and years (Dahlheim et al.,
2009). Additionally, minke whales were observed during the Biorka
Island Dock Replacement Project at the mouth of Sitka Sound (Turnagain
Marine Construction, 2018).
Killer Whale
Killer whales have been observed in all oceans, but the highest
densities occur in colder and more productive waters found at high
latitudes. Killer whales occur along the entire coast of Alaska (Braham
and Dahlheim, 1982), inland waterways of British Columbia and
Washington (Bigg et al., 1990), and along the outer coasts of
Washington, Oregon, and California (Green et al., 1992; Barlow, 1995,
1997; Forney et al., 1995). Eight stocks of killer whales are
recognized within the Pacific U.S. Exclusive Economic Zone (Muto et
al., 2020). Of those, five stocks may be present in the project areas
as follows: (1) Alaska Resident stock--All project locations; (2) AT1
Transient stock--Cordova, Valdez, and Seward; (3) Gulf of Alaska,
Aleutian Islands, and Bering Sea Transient stock--Kodiak, Sitka,
Valdez, Cordova, and Seward; (4) Northern Resident--Juneau, Sitka,
Petersburg, and Ketchikan; and (5) West Coast Transient stock--Juneau,
Sitka, Petersburg, and Ketchikan. Table 4 outlines where each stock is
expected to overlap with each project location.
Transient killer whales hunt and feed primarily on marine mammals,
including harbor seals, Dall's porpoises, harbor porpoises, and sea
lions. Resident killer whale populations in the eastern North Pacific
feed mainly on salmonids, showing a strong preference for Chinook
salmon (Muto et al., 2020).
The Alaska Resident stock occurs from southeast Alaska to the
Aleutian Islands and Bering Sea. The Northern Resident stock occurs
from Washington north through part of southeast Alaska. The Gulf of
Alaska, Aleutian Islands, and Bering Sea Transient stock occurs from
the northern British Columbia coast to the Aleutian Islands and Bering
Sea. The AT1 Transient stock occurs only in Prince William Sound and in
the Kenai Fjords region. The West Coast Transient stock occurs from
California north through southeast Alaska (Muto et al., 2020).
Dahlheim et al., (2009) noted a 5.2 percent annual decline in
transient killer whales observed in southeast Alaska between 1991 and
2007. Both resident and transient killer whales were observed in
southeast Alaska during all seasons during surveys between 1991 and
2007, in a variety of habitats and in all major waterways, including
Lynn Canal, Icy Strait, Stephens Passage, Frederick Sound, and upper
Chatham Strait (Dahlheim et al., 2009). There does not appear to be
strong seasonal variation in abundance
[[Page 26442]]
or distribution of killer whales, but Dahlheim et al. (2009) observed
substantial variability among different years.
Members of the fish-eating resident stocks are the most commonly
seen in nearshore waters with members of the Alaska Resident stock
having the potential to occur at any of the facilities while Northern
Resident individuals have the potential to occur at all of the
facilities except Base Ketchikan which is south of their expected range
(Muto et al., 2020). Transient killer whales of the Gulf of Alaska,
Aleutian Islands, and Bering Sea stock have the potential to occur at
all facilities except those facilities along the Inside Passage (i.e.,
Base Ketchikan, Petersburg Moorings, and Station Juneau). Southeast
Alaska is at the northern limit of the West Coast Transient stock and
individuals of this population are only anticipated to appear at
Station Sitka, Base Ketchikan, Station Juneau, and Petersburg Moorings.
Pacific White-Sided Dolphin
The Pacific white-sided dolphin is found in cool temperate waters
of the North Pacific from the southern Gulf of California to Alaska.
Across the North Pacific, it appears to have a relatively narrow
distribution between 38[deg] N and 47[deg] N (Brownell et al., 1999).
In the eastern North Pacific Ocean, the Pacific white-sided dolphin is
one of the most common cetacean species, occurring primarily in shelf
and slope waters (Green et al., 1993; Barlow 2003, 2010).
Results of aerial and shipboard surveys strongly suggest seasonal
north-south movements of the species between California and Oregon/
Washington; the movements apparently are related to oceanographic
influences, particularly water temperature (Green et al., 1993; Forney
and Barlow, 1998; Buchanan et al., 2001). During winter, this species
is most abundant in California slope and offshore areas; as northern
waters begin to warm in the spring, it appears to move north to slope
and offshore waters off Oregon/Washington (Green et al., 1992, 1993;
Forney et al., 1995; Buchanan et al., 2001; Barlow 2003).
Pacific white-sided dolphins are highly gregarious with groups
usually between 10 and 100 animals but ranging up to the thousands.
Dall's Porpoise
Dall's porpoise is found in temperate to subarctic waters of the
North Pacific and adjacent seas (Jefferson et al., 2015). It is widely
distributed across the North Pacific over the continental shelf and
slope waters, and over deep (2500 m and greater) oceanic waters (Hall,
1979). It is probably the most abundant small cetacean in the North
Pacific Ocean, and its abundance changes seasonally, likely in relation
to water temperature (Becker, 2007). They occur in groups of up to 25
individuals and are expected to occur at all eight facilities.
Harbor Porpoise
Harbor porpoise are common in coastal waters. They frequently occur
in coastal waters of southeast Alaska and are observed most frequently
in waters less than 350 ft (107 m) deep (Dahlheim et al., 2009). There
are three harbor porpoise stocks in Alaska: (1) The Southeast Alaska
stock occurs from Dixon Entrance to Cape Suckling, including inland
waters; (2) The Gulf of Alaska stock occurs from Cape Suckling to
Unimak Pass; and (3) The Bering Sea stock occurs throughout the
Aleutian Islands and all waters north of Unimak Pass (Muto et al.,
2021). Only the Southeast Alaska stock and the Gulf of Alaska stock are
expected to be encountered throughout all project sites. The Southeast
Alaska stock's range includes the Sitka, Ketchikan, Juneau, and
Petersburg facilities, while the Gulf of Alaska stock range includes
the Kodiak, Valdez, Seward, and Cordova facilities.
California Sea Lion
The primary range of the California sea lion includes the coastal
areas and offshore islands of the eastern North Pacific Ocean from
British Columbia to central Mexico, including the Gulf of California
(Jefferson et al., 2015). However, its distribution is expanding
(Jefferson et al., 2015), and its secondary range extends into the Gulf
of Alaska (Maniscalco et al., 2004) and southern Mexico (Gallo-Reynoso
and Sol[oacute]rzano-Velasco, 1991).
In California and Baja California, births occur on land from mid-
May to late-June. During August and September, after the mating season,
the adult males migrate northward to feeding areas (Lowry et al.,
1992). They remain there until spring (March-May), when they migrate
back to the breeding colonies (Lowry et al., 1992; Weise et al., 2006).
The distribution of immature California sea lions is less well known
but some make northward migrations that are shorter in length than the
migrations of adult males (Huber, 1991). However, most immature seals
are presumed to remain near the rookeries for most of the year, as are
females and pups (Lowry et al., 1992).
Northern Fur Seal
The northern fur seal is endemic to the North Pacific Ocean and
occurs from southern California to the Bering Sea, Sea of Okhotsk, and
Sea of Japan (Jefferson et al., 2015). The worldwide population of
northern fur seals has declined substantially from 1.8 million animals
in the 1950s (Muto et al., 2020). They were subjected to large-scale
harvests on the Pribilof Islands to supply a lucrative fur trade. Two
stocks are recognized in U.S. waters: The Eastern North Pacific and the
California stocks. The Eastern Pacific stock ranges from southern
California during winter to the Pribilof Islands and Bogoslof Island in
the Bering Sea during summer (Carretta et al., 2020; Muto et al.,
2020). Abundance of the Eastern Pacific Stock has been decreasing at
the Pribilof Islands since the 1940s and increasing on Bogoslof Island.
The northern fur seal population appears to be greatly affected by El
Ni[ntilde]o events.
Most northern fur seals are highly migratory. During the breeding
season, most of the world's population of northern fur seals occurs on
the Pribilof and Bogoslof islands (NMFS 2007). The main breeding season
is in July (Gentry, 2009). Adult males usually occur onshore from May
to August, though some may be present until November; females are
usually found ashore from June to November (Muto et al., 2020). Nearly
all fur seals from the Pribilof Island rookeries are foraging at sea
from fall through late spring. In November, females and pups leave the
Pribilof Islands and migrate through the Gulf of Alaska to feeding
areas primarily off the coasts of British Columbia, Washington, Oregon,
and California before migrating north again to the rookeries in spring
(Ream et al., 2005; Pelland et al., 2014). Immature seals can remain at
sea in southern foraging areas year-round until they are old enough to
mate (Muto et al., 2022). Adult males migrate only as far south as the
Gulf of Alaska or to the west off the Kuril Islands (Kajimura, 1984).
The northern fur seal spends approximately 90 percent of its time
at sea, typically in areas of upwelling along the continental slopes
and over seamounts (Gentry, 1981). The remainder of its life is spent
on or near rookery islands or haulouts. While at sea, northern fur
seals usually occur singly or in pairs, although larger groups can form
in waters rich with prey (Antonelis and Fiscus, 1980; Gentry, 1981).
Northern fur seals dive to relatively shallow depths to feed: 100-200 m
for females, and <400 m for males (Gentry, 2009). Tagged adult female
fur
[[Page 26443]]
seals were shown to remain within 200 km of the shelf break (Pelland et
al., 2014).
Steller Sea Lion
The Steller sea lion's range extends across the North Pacific Rim
from northern Japan to California with areas of abundance in the Gulf
of Alaska and Aleutian Islands (Muto et al., 2020). In 1997, based on
demographic and genetic dissimilarities, NMFS identified two DPSs of
Steller sea lions under the ESA: a western DPS (western stock) and an
eastern DPS (eastern stock). The western DPS breeds on rookeries
located west of 144[deg] W in Alaska and Russia, whereas the eastern
DPS breeds on rookeries in southeast Alaska through California.
Movement occurs between the western and eastern DPS of Steller sea
lions, and increasing numbers of individuals from the western DPS have
been seen in Southeast Alaska in recent years (Muto et al., 2020, Fritz
et al., 2016; DeMaster, 2014). This DPS-exchange is especially evident
in the outer southeast coast of Alaska, including Sitka Sound. The
distribution of marked animals (along with other demographic data)
indicates that movements of Steller sea lions during the breeding
season result in a small net annual movement of animals from southeast
Alaska (eastern DPS) to the western DPS (approximately 80 sea lions
total) but a much larger inter-regional movement between the western
DPS and the eastern DPS (approximately 1,000 sea lions per year; Fritz
et al., 2016). Hastings et al. (2020) indicates that the eastern
population is increasing while the western population is decreasing,
influencing mixing of both populations at new rookeries in northern
southeast Alaska. They estimate 38 percent and 13 percent of animals in
the northern outer coast from the Glacier Bay and Lynn Canal in
southeast Alaska carry genetic information unique to the western
population.
Critical habitat has been defined in Alaska at major haulouts and
major rookeries (50 CFR 226.202), but the project action areas do not
overlap with Steller sea lion critical habitat. Additionally, no in-
water work will occur from March 1 through October 1 at Valdez and
Cordova to avoid overlap with Steller sea lion breeding season.
Harbor Seal
Harbor seals are common in the coastal and inside waters of the
project areas. Harbor seals in Alaska are typically non-migratory with
local movements attributed to factors such as prey availability,
weather, and reproduction (Scheffer and Slipp, 1944; Fisher, 1952; Bigg
1969, 1981; Hastings et al., 2004). Harbor seals haul out of the water
periodically to rest, give birth, and nurse their pups. According to
the NMFS Alaska Fisheries Science Center (AFSC, 2021) there is one
haulout near Valdez (HG08A), and one near Cordova (GG08D) that are
within direct line of sight and that could be exposed in larger Level B
harassment zones (see below).
There are 12 stocks of harbor seals in Alaska, 5 of which occur in
the project areas: (1) the South Kodiak stock ranges from Middle Cape
on the west coast of Kodiak Island southwest to Chirikof Island and
east along the south coast of Kodiak Island to Spruce Island; (2) the
Prince William Sound stock ranges from Elizabeth Island off the
southwest tip of the Kenai Peninsula to Cape Fairweather; (3) the Lynn
Canal/Stephens Passage stock ranges north along the east and north
coast of Admiralty Island from the north end of Kupreanof Island
through Lynn Canal; (4) the Sitka/Chatham Strait stock ranges from Cape
Bingham south to Cape Ommaney, extending inland to Table Bay on the
west side of Kuiu Island and north through Chatham Strait to Cube Point
off the west coast of Admiralty Island, and as far east as Cape Bendel
on the northeast tip of Kupreanof Island; and (5) the Clarence Strait
stock ranges along the east coast of Prince of Wales Island from Cape
Chacon north through Clarence Strait to Point Baker and along the east
coast of Mitkof and Kupreanof Islands north to Bay Point.
Unusual Mortality Events (UME)
A UME is defined under the MMPA as ``a stranding that is
unexpected; involves a significant die-off of any marine mammal
population; and demands immediate response.'' The only currently
ongoing UME investigation involves gray whales (https://www.fisheries.noaa.gov/national/marine-life-distress/2019-2021-gray-whale-unusual-mortality-event-along-west-coast-and. Beginning in early
2019, elevated strandings were observed along the west coast, with the
majority of strandings in Alaska. Findings to date indicate that the
whales are often emaciated but a cause of the UME has not been
determined.
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. Current data indicate that 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) recommended that marine mammals be divided
into functional hearing groups based on directly measured or estimated
hearing ranges on the basis of available behavioral response data,
audiograms derived using auditory evoked potential techniques,
anatomical modeling, and other data. Note that no direct measurements
of hearing ability have been successfully completed for mysticetes
(i.e., low-frequency cetaceans). Subsequently, NMFS (2016) 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
an exception for lower limits for low-frequency cetaceans where the
result 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.
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 (dolphins, 150 Hz to 160 kHz.
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) (true 50 Hz to 86 kHz.
seals).
[[Page 26444]]
Otariid pinnipeds (OW) (underwater) (sea 60 Hz to 39 kHz.
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.
Please refer to Table 3.
Potential Effects of the Specified Activity on Marine Mammals and Their
Habitat
This section includes a summary and discussion of the ways that
components of the specified activity may impact marine mammals and
their habitat. The Estimated Take section later in this document
includes a quantitative analysis of the number of individuals that are
expected to be taken by this activity. The Negligible Impact Analysis
and Determination section considers the content of this section, the
Estimated Take section, and the Proposed Mitigation section, to draw
conclusions regarding the likely impacts of these activities on the
reproductive success or survivorship of individuals and how those
impacts on individuals are likely to impact marine mammal species or
stocks.
In the following discussion, we provide general background
information on sound before considering potential effects to marine
mammals from sound produced by pile driving.
Description of Sound Sources
This section contains a brief technical background on sound, on the
characteristics of certain sound types, and on metrics used in this
proposal inasmuch as the information is relevant to the specified
activity and to a discussion of the potential effects of the specified
activity on marine mammals found later in this document.
The marine soundscape is comprised of both ambient and
anthropogenic sounds. Ambient sound is defined as the all-encompassing
sound in a given place and is usually a composite of sound from many
sources both near and far (ANSI 1994, 1995). The sound level of an area
is defined by the total acoustical energy being generated by known and
unknown sources. These sources may include physical (e.g., waves, wind,
precipitation, earthquakes, ice, atmospheric sound), biological (e.g.,
sounds produced by marine mammals, fish, and invertebrates), and
anthropogenic sound (e.g., vessels, dredging, aircraft, construction).
The sum of the various natural and anthropogenic sound sources at
any given location and time--which comprise ``ambient'' or
``background'' sound--depends not only on the source levels (as
determined by current weather conditions and levels of biological and
shipping activity) but also on the ability of sound to propagate
through the environment. In turn, sound propagation is dependent on the
spatially and temporally varying properties of the water column and sea
floor, and is frequency-dependent. As a result of the dependence on a
large number of varying factors, ambient sound levels can be expected
to vary widely over both coarse and fine spatial and temporal scales.
Sound levels at a given frequency and location can vary by 10-20 dB
from day to day (Richardson et al., 1995). The result is that,
depending on the source type and its intensity, sound from the
specified activity may be a negligible addition to the local
environment or could form a distinctive signal that may affect marine
mammals.
In-water construction activities associated with the project would
include impact pile driving, vibratory pile driving, DTH, pile cutting,
and power washing. Of these sounds, pile cutting and power washing are
not expected to cause take of marine mammals and are thus not addressed
further. The sounds produced by these activities fall into one of two
general sound types: intermittent impulsive and continuous, non-
impulsive. Impulsive sounds (e.g., explosions, gunshots, sonic booms,
impact pile driving) are typically transient, brief (less than 1
second), broadband, and consist of high peak sound pressure with rapid
rise time and rapid decay (ANSI, 1986; NIOSH, 1998; ANSI, 2005; NMFS,
2018). As regards the temporal aspect of these sound types, impulsive
sounds are inherently intermittent, while non-impulsive sounds may be
intermittent or continuous. Non-impulsive sounds (e.g., machinery
operations such as drilling or dredging, vibratory pile driving, pile
cutting, power washing, and active sonar systems) can be broadband,
narrowband or tonal, brief or prolonged (continuous or intermittent),
and typically do not have the high peak sound pressure with raid rise/
decay time that impulsive sounds do (ANSI 1995; NIOSH 1998; NMFS 2018).
The distinction between these two sound types is important because they
have differing potential to cause physical effects, particularly with
regard to hearing (e.g., Ward 1997 in Southall et al., 2007).
Three types of pile hammers would be used on this project: impact,
vibratory, and DTH. Impact hammers operate by repeatedly dropping a
heavy piston onto a pile to drive the pile into the substrate. Sound
generated by impact hammers is characterized by rapid rise times and
high peak levels, a potentially injurious combination (Hastings and
Popper, 2005). Vibratory hammers install piles by vibrating them and
allowing the weight of the hammer to push them into the sediment.
Vibratory hammers produce significantly less sound than impact hammers.
Peak sound pressure levels (SPLs) may be 180 dB or greater, but are
generally 10 to 20 dB lower than SPLs generated during impact pile
driving of the same-sized pile (Oestman et al., 2009). Rise time is
slower, reducing the probability and severity of injury, and sound
energy is distributed over a greater amount of time (Nedwell and
Edwards, 2002; Carlson et al., 2005).
Rock or tension anchoring would be conducted using a DTH hammer. A
DTH hammer is essentially a drill bit that drills through the bedrock
using a rotating function like a normal drill in concert with a
hammering pulse mechanism operated by a pneumatic (or sometimes
hydraulic) component
[[Page 26445]]
integrated into the DTH hammer to increase speed of progress through
the substrate (i.e., it is similar to a ``hammer drill'' hand tool).
Rock anchoring or socketing involves using DTH equipment to create a
hole in the bedrock inside which the pile is placed to give it lateral
and longitudinal strength. Tension anchoring involves creating a
smaller hole below the bottom of a pile. A length of rebar is typically
inserted in the small hole and is long enough to run up through the
middle of a hollow pile to reach the surface where it is connected to
the pile to provide additional mechanical support and stability to the
pile. The sounds produced by DTH systems contain both a continuous,
non-impulsive component from the drilling action and an impulsive
component from the hammering effect. Therefore, NMFS treats DTH systems
as both impulsive (for estimating Level A harassment zones) and non-
impulsive (for estimating Level B harassment zones) sound source types
simultaneously.
The likely or possible impacts of the Coast Guard's proposed
activity on marine mammals could involve both non-acoustic and acoustic
stressors. Potential non-acoustic stressors could result from the
physical presence of the equipment and personnel; however, any impacts
to marine mammals are expected to primarily be acoustic in nature.
Acoustic stressors include effects of heavy equipment operation during
pile driving and removal.
Acoustic Impacts
The introduction of anthropogenic noise into the aquatic
environment from DTH and pile driving is the primary means by which
marine mammals may be harassed from the Coast Guard's specified
activity. In general, animals exposed to natural or anthropogenic sound
may experience physical and psychological effects, ranging in magnitude
from none to severe (Southall et al., 2007). Generally, exposure to
pile driving noise has the potential to result in auditory threshold
shifts and behavioral reactions (e.g., avoidance, temporary cessation
of foraging and vocalizing, changes in dive behavior). Exposure to
anthropogenic noise can also lead to non-observable physiological
responses such an increase in stress hormones. Additional noise in a
marine mammal's habitat can mask acoustic cues used by marine mammals
to carry out daily functions such as communication and predator and
prey detection. The effects of pile driving noise on marine mammals are
dependent on several factors, including, but not limited to, sound type
(e.g., impulsive vs. non-impulsive), the species, age and sex class
(e.g., adult male vs. mom with calf), duration of exposure, the
distance between the pile and the animal, received levels, behavior at
time of exposure, and previous history with exposure (Wartzok et al.,
2004; Southall et al., 2007). Here we discuss physical auditory effects
(threshold shifts) followed by behavioral effects and potential impacts
on habitat.
NMFS defines a noise-induced threshold shift (TS) as a change,
usually an increase, in the threshold of audibility at a specified
frequency or portion of an individual's hearing range above a
previously established reference level (NMFS 2018). The amount of
threshold shift is customarily expressed in dB. A TS can be permanent
or temporary. As described in NMFS (2018), there are numerous factors
to consider when examining the consequence of TS, including, but not
limited to, the signal temporal pattern (e.g., impulsive or non-
impulsive), likelihood an individual would be exposed for a long enough
duration or to a high enough level to induce a TS, the magnitude of the
TS, time to recovery (seconds to minutes or hours to days), the
frequency range of the exposure (i.e., spectral content), the hearing
and vocalization frequency range of the exposed species relative to the
signal's frequency spectrum (i.e., how an animal uses sound within the
frequency band of the signal; e.g., Kastelein et al., 2014), and the
overlap between the animal and the source (e.g., spatial, temporal, and
spectral).
Permanent Threshold Shift (PTS)--NMFS defines PTS as a permanent,
irreversible increase in the threshold of audibility at a specified
frequency or portion of an individual's hearing range above a
previously established reference level (NMFS 2018). Available data from
humans and other terrestrial mammals indicate that a 40 dB threshold
shift approximates PTS onset (see Ward et al., 1958, 1959; Ward 1960;
Kryter et al., 1966; Miller 1974; Ahroon et al., 1996; Henderson et
al., 2008). PTS levels for marine mammals are estimates, as with the
exception of a single study unintentionally inducing PTS in a harbor
seal (Kastak et al., 2008), there are no empirical data measuring PTS
in marine mammals largely due to the fact that, for various ethical
reasons, experiments involving anthropogenic noise exposure at levels
inducing PTS are not typically pursued or authorized (NMFS 2018).
Temporary Threshold Shift (TTS)--TTS is a temporary, reversible
increase in the threshold of audibility at a specified frequency or
portion of an individual's hearing range above a previously established
reference level (NMFS 2018). Based on data from cetacean TTS
measurements (see Southall et al., 2007), a TTS of 6 dB is considered
the minimum threshold shift clearly larger than any day-to-day or
session-to-session variation in a subject's normal hearing ability
(Schlundt et al., 2000; Finneran et al., 2000, 2002). As described in
Finneran (2015), marine mammal studies have shown the amount of TTS
increases with cumulative sound exposure level (SELcum) in an
accelerating fashion: At low exposures with lower SELcum, the amount of
TTS is typically small and the growth curves have shallow slopes. At
exposures with higher SELcum, the growth curves become steeper and
approach linear relationships with the noise SEL.
Depending on the degree (elevation of threshold in dB), duration
(i.e., recovery time), and frequency range of TTS, and the context in
which it is experienced, TTS can have effects on marine mammals ranging
from discountable to serious (similar to those discussed in auditory
masking, below). For example, a marine mammal may be able to readily
compensate for a brief, relatively small amount of TTS in a non-
critical frequency range that takes place during a time when the animal
is traveling through the open ocean, where ambient noise is lower and
there are not as many competing sounds present. Alternatively, a larger
amount and longer duration of TTS sustained during a time when
communication is critical for successful mother/calf interactions could
have more serious impacts. We note that reduced hearing sensitivity as
a simple function of aging has been observed in marine mammals, as well
as humans and other taxa (Southall et al., 2007), so we can infer that
strategies exist for coping with this condition to some degree, though
likely not without cost.
Many studies have examined noise-induced hearing loss in marine
mammals (see Finneran (2015) and Southall et al. (2019) for summaries).
For cetaceans, published data on the onset of TTS are limited to the
captive bottlenose dolphin (Tursiops truncatus), beluga whale
(Delphinapterus leucas), harbor porpoise, and Yangtze finless porpoise
(Neophocoena asiaeorientalis), and for pinnipeds in water, measurements
of TTS are limited to harbor seals, elephant seals (Mirounga
angustirostris), and California sea lions. These studies examine
hearing thresholds measured in marine mammals before and after exposure
to
[[Page 26446]]
intense sounds. The difference between the pre-exposure and post-
exposure thresholds can be used to determine the amount of threshold
shift at various post-exposure times. The amount and onset of TTS
depends on the exposure frequency. Sounds at low frequencies, well
below the region of best sensitivity, are less hazardous than those at
higher frequencies, near the region of best sensitivity (Finneran and
Schlundt, 2013). At low frequencies, onset-TTS exposure levels are
higher compared to those in the region of best sensitivity (i.e., a low
frequency noise would need to be louder to cause TTS onset when TTS
exposure level is higher), as shown for harbor porpoises and harbor
seals (Kastelein et al., 2019a, 2019b). In addition, TTS can accumulate
across multiple exposures, but the resulting TTS will be less than the
TTS from a single, continuous exposure with the same SEL (Finneran et
al., 2010; Kastelein et al., 2014; Kastelein et al., 2015a; Mooney et
al., 2009). This means that TTS predictions based on the total, SELcum
will overestimate the amount of TTS from intermittent exposures such as
sonars and impulsive sources. Nachtigall et al., (2018) describe the
measurements of hearing sensitivity of multiple odontocete species
(bottlenose dolphin, harbor porpoise, beluga, and false killer whale
(Pseudorca crassidens)) when a relatively loud sound was preceded by a
warning sound. These captive animals were shown to reduce hearing
sensitivity when warned of an impending intense sound. Based on these
experimental observations of captive animals, the authors suggest that
wild animals may dampen their hearing during prolonged exposures or if
conditioned to anticipate intense sounds. Another study showed that
echolocating animals (including odontocetes) might have anatomical
specializations that might allow for conditioned hearing reduction and
filtering of low-frequency ambient noise, including increased stiffness
and control of middle ear structures and placement of inner ear
structures (Ketten et al., 2021). Data available on noise-induced
hearing loss for mysticetes are currently lacking (NMFS, 2018).
Installing piles requires a combination of impact pile driving,
vibratory pile driving, and DTH. For the project, these activities
would not occur at the same time and there would likely be pauses in
activities producing the sound during each day. Given these pauses and
that many marine mammals are likely moving through the action area and
not remaining for extended periods of time, the potential for TS
declines.
Behavioral Harassment--Exposure to noise from pile driving and
drilling also has the potential to behaviorally disturb marine mammals.
Available studies show wide variation in response to underwater sound;
therefore, it is difficult to predict specifically how any given sound
in a particular instance might affect marine mammals perceiving the
signal. If a marine mammal does react briefly to an underwater sound by
changing its behavior or moving a small distance, the impacts of the
change are unlikely to be significant to the individual, let alone the
stock or population. However, if a sound source displaces marine
mammals from an important feeding or breeding area for a prolonged
period, impacts on individuals and populations could be significant
(e.g., Lusseau and Bejder, 2007; Weilgart, 2007; NRC, 2005).
Disturbance may result in changing durations of surfacing and
dives, number of blows per surfacing, or moving direction and/or speed;
reduced/increased vocal activities; changing/cessation of certain
behavioral activities (such as socializing or feeding); visible startle
response or aggressive behavior (such as tail/fluke slapping or jaw
clapping); avoidance of areas where sound sources are located.
Pinnipeds may increase their haul out time, possibly to avoid in-water
disturbance (Thorson and Reyff, 2006). Behavioral responses to sound
are highly variable and context-specific and any reactions depend on
numerous intrinsic and extrinsic factors (e.g., species, state of
maturity, experience, current activity, reproductive state, auditory
sensitivity, time of day), as well as the interplay between factors
(e.g., Richardson et al., 1995; Wartzok et al., 2003; Southall et al.,
2007; Weilgart, 2007; Archer et al., 2010). Behavioral reactions can
vary not only among individuals but also within an individual,
depending on previous experience with a sound source, context, and
numerous other factors (Ellison et al., 2012), and can vary depending
on characteristics associated with the sound source (e.g., whether it
is moving or stationary, number of sources, distance from the source).
In general, pinnipeds seem more tolerant of, or at least habituate more
quickly to, potentially disturbing underwater sound than do cetaceans,
and generally seem to be less responsive to exposure to industrial
sound than most cetaceans. Please see Appendices B and C of Southall et
al. (2007) for a review of studies involving marine mammal behavioral
responses to sound.
Disruption of feeding behavior can be difficult to correlate with
anthropogenic sound exposure, so it is usually inferred by observed
displacement from known foraging areas, the appearance of secondary
indicators (e.g., bubble nets or sediment plumes), or changes in dive
behavior. As for other types of behavioral response, the frequency,
duration, and temporal pattern of signal presentation, as well as
differences in species sensitivity, are likely contributing factors to
differences in response in any given circumstance (e.g., Croll et al.,
2001; Nowacek et al., 2004; Madsen et al., 2006; Yazvenko et al.,
2007). A determination of whether foraging disruptions incur fitness
consequences would require information on or estimates of the energetic
requirements of the affected individuals and the relationship between
prey availability, foraging effort and success, and the life history
stage of the animal.
In 2016, the Alaska Department of Transportation and Public
Facilities (ADOT&PF) documented observations of marine mammals during
construction activities (i.e., pile driving and DTH drilling) at the
Kodiak Ferry Dock (see 80 FR 60636, October 7, 2015). In the marine
mammal monitoring report for that project (ABR 2016), 1,281 Steller sea
lions were observed within the estimated Level B harassment zone during
pile driving or drilling. Of these, 19 individuals demonstrated an
alert behavior, 7 were fleeing, and 19 swam away from the project site.
All other animals (98 percent) were engaged in activities such as
milling, foraging, or fighting and did not change their behavior. In
addition, two sea lions approached within 20 meters of active vibratory
pile driving activities. Three harbor seals were observed within the
disturbance zone during pile driving activities; none of them displayed
disturbance behaviors. Fifteen killer whales and three harbor porpoises
were also observed within the estimated Level B harassment zone during
pile driving. The killer whales were travelling or milling while all
harbor porpoises were travelling. No signs of disturbance were noted
for either of these species. Given the similarities in activities and
habitat and the fact the same species are involved, we expect similar
behavioral responses of marine mammals to the Coast Guard's specified
activity. That is, disturbance, if any, is likely to be temporary and
localized (e.g., small area movements). Monitoring reports from other
recent pile driving and DTH projects in Alaska
[[Page 26447]]
have observed similar behaviors (for example, the Biorka Island Dock
Replacement Project https://www.fisheries.noaa.gov/action/incidental-take-authorization-faa-biorka-island-dock-replacement-project-sitka-ak).
Airborne Acoustic Effects--Pinnipeds that occur near the project
sites could be exposed to airborne sounds associated with pile driving
or DTH that have the potential to cause behavioral harassment,
depending on their distance from the activities. Cetaceans are not
expected to be exposed to airborne sounds that would result in
harassment as defined under the MMPA.
Airborne noise would primarily be an issue for pinnipeds that are
swimming or hauled out near the project sites within the range of noise
levels elevated above the airborne acoustic harassment criteria. We
recognize that pinnipeds in the water could be exposed to airborne
sound that may result in behavioral harassment when swimming with their
heads above water. Most likely, airborne sound would cause behavioral
responses similar to those discussed above in relation to underwater
sound. For instance, anthropogenic sound could cause hauled-out
pinnipeds to exhibit changes in their normal behavior, such as
reduction in vocalizations, or cause them to temporarily abandon the
area and move further from the source. However, these animals would
previously have been `taken' because of exposure to underwater sound
above the behavioral harassment thresholds, which are in all cases
larger than those associated with airborne sound. Thus, the behavioral
harassment of these animals is already accounted for in these estimates
of potential take. Therefore, we do not believe that authorization of
incidental take resulting from airborne sound for pinnipeds is
warranted, and airborne sound is not discussed further here.
Stress Responses--An animal's perception of a threat may be
sufficient to trigger stress responses consisting of some combination
of behavioral responses, autonomic nervous system responses,
neuroendocrine responses, or immune responses (e.g., Selye, 1950;
Moberg, 2000). In many cases, an animal's first and sometimes most
economical (in terms of energetic costs) response is behavioral
avoidance of the potential stressor. Autonomic nervous system responses
to stress typically involve changes in heart rate, blood pressure, and
gastrointestinal activity. These responses have a relatively short
duration and may or may not have a significant long-term effect on an
animal's fitness.
Neuroendocrine stress responses often involve the hypothalamus-
pituitary-adrenal system. Virtually all neuroendocrine functions that
are affected by stress--including immune competence, reproduction,
metabolism, and behavior--are regulated by pituitary hormones. Stress-
induced changes in the secretion of pituitary hormones have been
implicated in failed reproduction, altered metabolism, reduced immune
competence, and behavioral disturbance (e.g., Moberg, 1987; Blecha,
2000). Increases in the circulation of glucocorticoids are also equated
with stress (Romano et al., 2004).
The primary distinction between stress (which is adaptive and does
not normally place an animal at risk) and ``distress'' is the cost of
the response. During a stress response, an animal uses glycogen stores
that can be quickly replenished once the stress is alleviated. In such
circumstances, the cost of the stress response would not pose serious
fitness consequences. However, when an animal does not have sufficient
energy reserves to satisfy the energetic costs of a stress response,
energy resources must be diverted from other functions. This state of
distress will last until the animal replenishes its energetic reserves
sufficient to restore normal function.
Relationships between these physiological mechanisms, animal
behavior, and the costs of stress responses are well-studied through
controlled experiments and for both laboratory and free-ranging animals
(e.g., Holberton et al., 1996; Hood et al., 1998; Jessop et al., 2003;
Krausman et al., 2004; Lankford et al., 2005). Stress responses due to
exposure to anthropogenic sounds or other stressors and their effects
on marine mammals have also been reviewed (Fair and Becker, 2000;
Romano et al., 2002b) and, more rarely, studied in wild populations
(e.g., Romano et al., 2002a). For example, Rolland et al. (2012) found
that noise reduction from reduced ship traffic in the Bay of Fundy was
associated with decreased stress in North Atlantic right whales. These
and other studies lead to a reasonable expectation that some marine
mammals will experience physiological stress responses upon exposure to
acoustic stressors and that it is possible that some of these would be
classified as ``distress.'' In addition, any animal experiencing TTS
would likely also experience stress responses (NRC, 2003), however
distress is an unlikely result of this project based on observations of
marine mammals during previous, similar projects in the area.
Auditory Masking--Sound can disrupt behavior through masking, or
interfering with, an animal's ability to detect, recognize, or
discriminate between acoustic signals of interest (e.g., those used for
intraspecific communication and social interactions, prey detection,
predator avoidance, navigation) (Richardson et al., 1995; Erbe et al.,
2016). Masking occurs when the receipt of a sound is interfered with by
another coincident sound at similar frequencies and at similar or
higher intensity, and may occur whether the sound is natural (e.g.,
snapping shrimp, wind, waves, precipitation) or anthropogenic (e.g.,
shipping, sonar, seismic exploration) in origin. The ability of a noise
source to mask biologically important sounds depends on the
characteristics of both the noise source and the signal of interest
(e.g., signal-to-noise ratio, temporal variability, direction), in
relation to each other and to an animal's hearing abilities (e.g.,
sensitivity, frequency range, critical ratios, frequency
discrimination, directional discrimination, age or TTS hearing loss),
and existing ambient noise and propagation conditions. Masking of
natural sounds can result when human activities produce high levels of
background sound at frequencies important to marine mammals.
Conversely, if the background level of underwater sound is high (e.g.,
on a day with strong wind and high waves), an anthropogenic sound
source would not be detectable as far away as would be possible under
quieter conditions and would itself be masked.
Under certain circumstances, marine mammals experiencing
significant masking could also be impaired from maximizing their
performance fitness in survival and reproduction. Therefore, when the
coincident (masking) sound is man-made, it may be considered harassment
when disrupting or altering critical behaviors. It is important to
distinguish TTS and PTS, which persist after the sound exposure, from
masking, which occurs during the sound exposure. Because masking
(without resulting in TS) is not associated with abnormal physiological
function, it is not considered a physiological effect, but rather a
potential behavioral effect.
The frequency range of the potentially masking sound is important
in determining any potential behavioral impacts. For example, low-
frequency signals may have less effect on high-frequency echolocation
sounds produced by odontocetes but are more likely to affect detection
of mysticete communication calls and other potentially important
natural sounds
[[Page 26448]]
such as those produced by surf and some prey species. The masking of
communication signals by anthropogenic noise may be considered as a
reduction in the communication space of animals (e.g., Clark et al.,
2009) and may result in energetic or other costs as animals change
their vocalization behavior (e.g., Miller et al., 2000; Foote et al.,
2004; Parks et al., 2007; Di Iorio and Clark, 2009; Holt et al., 2009).
Masking can be reduced in situations where the signal and noise come
from different directions (Richardson et al., 1995), through amplitude
modulation of the signal, or through other compensatory behaviors
(Houser and Moore, 2014). Masking can be tested directly in captive
species (e.g., Erbe, 2008), but in wild populations it must be either
modeled or inferred from evidence of masking compensation. There are
few studies addressing real-world masking sounds likely to be
experienced by marine mammals in the wild (e.g., Branstetter et al.,
2013).
Masking affects both senders and receivers of acoustic signals and
can potentially have long-term chronic effects on marine mammals at the
population level as well as at the individual level. Low-frequency
ambient sound levels have increased by as much as 20 dB (more than
three times in terms of SPL) in the world's ocean from pre-industrial
periods, with most of the increase from distant commercial shipping
(Hildebrand, 2009). All anthropogenic sound sources, but especially
chronic and lower-frequency signals (e.g., from vessel traffic),
contribute to elevated ambient sound levels, thus intensifying masking.
Many of the Coast Guard facilities are in areas that contain active
commercial shipping, fishing, cruise ship, and ferry operations, as
well as numerous recreational and other commercial vessels; therefore,
background sound levels in the areas are generally already elevated.
Marine Mammal Habitat Effects
The Coast Guard's construction activities could have localized,
temporary impacts on marine mammal habitat and their prey by increasing
in-water sound pressure levels and slightly decreasing water quality.
Increased noise levels may affect acoustic habitat (see masking
discussion above) and adversely affect marine mammal prey in the
vicinity of the project area (see discussion below). During
construction activities, elevated levels of underwater noise would
ensonify nearby areas where both fishes and mammals occur and could
affect foraging success.
Construction activities are of short duration and would likely have
temporary impacts on marine mammal habitat through increases in
underwater and airborne sound.
In-water pile driving, cutting, and power washing activities would
also cause short-term effects on water quality due to increased
turbidity. Local strong currents are anticipated to disburse any
additional suspended sediments produced by project activities at
moderate to rapid rates depending on tidal stage. The Coast Guard would
employ other standard construction best management practices (see
section 11 in the Coast Guard's application), thereby reducing any
impacts. Therefore, the impact from increased turbidity levels is
expected to be discountable.
In-Water Construction Effects on Potential Foraging Habitat
The area likely impacted by the project is relatively small
compared to the available habitat in the Gulf of Alaska. For a couple
of facilities the ensonified area includes BIAs for feeding or
migration for gray and/or humpback whales as well as critical habitats
(see above). Kodiak and the distant areas around Cordova are included
in the area designated as critical habitat for the Mexico DPS of
humpback whales. Additionally, five haulout sites are located within 20
nautical miles (37 km) of Base Kodiak, the Seward Moorings, and of the
Cordova Moorings. The planned activity is not anticipated to have any
meaningful or lasting impacts to any of the aforementioned habitats of
biological or critical importance, nor is it anticipated to
significantly influence the behaviors of marine mammals in these
habitats. Pile driving, power washing, and DTH may temporarily increase
turbidity resulting from suspended sediments. Any increases would be
temporary, localized, and minimal. The Coast Guard must comply with
state water quality standards during these operations. In general,
turbidity associated with pile installation is localized to about a 25-
ft (7.6-m) radius around the pile (Everitt et al., 1980). Any pinnipeds
would be transiting the area and could avoid localized areas of
turbidity. Therefore, the impact from increased turbidity levels is
expected to be discountable to marine mammals. Furthermore, pile
driving at the project sites would not obstruct movements or migration
of marine mammals.
Avoidance by potential prey (i.e., fish) of the immediate area due
to the temporary loss of this foraging habitat is also possible. The
duration of fish avoidance of this area after pile driving, washing,
cutting or DTH stops is unknown, but a rapid return to normal
recruitment, distribution, and behavior is anticipated. Any behavioral
avoidance by fish of the disturbed area would still leave significantly
large areas of fish and marine mammal foraging habitat in the nearby
vicinity.
The duration of the construction activities is relatively short.
During each day, construction activities would generally only occur
during daylight hours, with exceptions at the end of the work day to
ensure safety of the site and construction personnel. Impacts to
habitat and prey are expected to be minimal based on the short duration
of activities and small size of affected areas, and the likelihood that
the areas that are impacted are not of particular importance to marine
mammals.
In-Water Construction Effects on Potential Prey (Fish)--
Construction activities would produce continuous, non-impulsive (i.e.,
vibratory pile driving, DTH) and intermittent impulsive (i.e., impact
driving and DTH) sounds. Fish utilize the soundscape and components of
sound in their environment to perform important functions such as
foraging, predator avoidance, mating, and spawning (e.g., Zelick et
al., 1999; Fay, 2009). Depending on their hearing anatomy and
peripheral sensory structures, which vary among species, fishes hear
sounds using pressure and particle motion sensitivity capabilities and
detect the motion of surrounding water (Fay et al., 2008). The
potential effects of noise on fishes depends on the overlapping
frequency range, distance from the sound source, water depth of
exposure, and species specific hearing sensitivity, anatomy, and
physiology. Key impacts to fishes may include behavioral responses,
hearing damage, barotrauma (pressure-related injuries), and mortality.
SPLs of sufficient strength have been known to cause injury to fish
and fish mortality (Dahl et al., 2020). However, in most fish species,
hair cells in the ear continuously regenerate and loss of auditory
function likely is restored when damaged cells are replaced with new
cells. Halvorsen et al. (2012a) showed that a TTS of 4-6 dB was
recoverable within 24 hours for one species. Non-auditory injuries
caused by barotrauma can range from slight to severe and can cause
death, and is most likely for fish with swim bladders. Barotrauma
injuries have been documented during controlled exposure to explosions
and during impact pile driving; however, the relationships between
severity of injury and location
[[Page 26449]]
of the fish relative to the sound are not well understood (Halvorsen et
al., 2012b; Casper et al., 2013; Dahl et al., 2020).
Fish react to sounds that are especially strong and/or intermittent
low-frequency sounds. Short duration, sharp sounds can cause overt or
subtle changes in fish behavior and local distribution. Hastings and
Popper (2005) identified several studies that suggest fish may relocate
to avoid certain areas of sound energy. Additional studies have
documented effects of pile driving on fish (e.g., Scholik and Yan,
2001, 2002; Popper and Hastings, 2009). Impulsive sounds might affect
the distribution and behavior of some fishes, potentially impacting
foraging opportunities or increasing energetic costs (e.g., Fewtrell
and McCauley, 2012; Pearson et al., 1992; Skalski et al., 1992;
Santulli et al., 1999; Paxton et al., 2017). However, some studies have
shown no or slight reaction to impulse sounds (e.g., Pena et al., 2013;
Wardle et al., 2001; Jorgenson and Gyselman, 2009; Cott et al., 2012).
More commonly, though, the impacts of noise on fish are temporary and
include changes to behavior that return to baseline shortly after the
noise-producing activity stops.
The most likely impact to fish from pile driving and DTH activities
at the project areas would be temporary behavioral avoidance of the
area. The duration of fish avoidance of the area after pile driving
stops is unknown, but a rapid return to normal recruitment,
distribution, and behavior is anticipated. There are times of known
seasonal marine mammal foraging in the area of the facilities around
fish processing/hatchery infrastructure or when fish are congregating,
but the impacted areas are a small portion of the total foraging
habitat available in the region. In general, impacts to marine mammal
prey species are expected to be minor and temporary due to the short
timeframe of the project and the small project footprint.
Construction activities, in the form of increased turbidity, have
the potential to adversely affect forage fish and juvenile salmonid
out-migratory routes in the project area. Both herring and salmon form
a significant prey base for Steller sea lions, herring is a primary
prey species of humpback whales, and both herring and salmon are
components of the diet of many other marine mammal species that occur
in the project area. Increased turbidity is expected to occur in the
immediate vicinity (on the order of 25 ft or less) of construction
activities. However, suspended sediments and particulates are expected
to dissipate quickly within a single tidal cycle. Given the limited
area affected and high tidal dilution rates any effects on forage fish
and salmon are expected to be minor or negligible. In addition, best
management practices would be in effect, which would limit the extent
of turbidity to the immediate project area. Finally, exposure to turbid
waters from construction activities is not expected to be different
from the current exposure; fish and marine mammals in the region are
routinely exposed to substantial levels of suspended sediment from
glacial sources.
In-water work windows have been established to minimize the impacts
of the proposed activity on sensitive life stages essential fish that
are considered prey species for many marine mammals. Table 1 notes when
periods of in-water work may not occur and at which facility.
In summary, given the short daily duration of sound associated with
individual pile driving and DTH events and the relatively small areas
being affected, pile driving and DTH activities associated with the
proposed action are not likely to have a permanent, adverse effect on
any fish habitat, or populations of fish species. Thus, we conclude
that impacts of the specified activity are not likely to have more than
short-term adverse effects on any prey habitat or populations of prey
species. Further, any impacts to marine mammal habitat are not expected
to result in significant or long-term consequences for individual
marine mammals, or to contribute to adverse impacts on their
populations.
Estimated Take
This section provides an estimate of the number of incidental takes
proposed for authorization, which will inform both NMFS' consideration
of ``small numbers'' and the negligible impact determination.
Harassment is the only type of take 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 A or Level B harassment only, in
the form of disruption of behavioral patterns for individual marine
mammals resulting from exposure to the acoustic sources. Based on the
nature of the activity, no serious injury or mortality is anticipated
or proposed to be authorized for this activity. Below we describe how
the take is estimated.
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)
and the number of days of activities. We note that while these basic
factors can contribute to a basic calculation to provide an initial
prediction of 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 proposed take
estimate.
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 PTS of some degree (equated to Level A
harassment).
Level B Harassment--Though significantly driven by received level,
the onset of behavioral disturbance from anthropogenic noise exposure
is also informed to varying degrees by other factors related to the
source (e.g., frequency, predictability, duty cycle), the environment
(e.g., bathymetry), and the receiving animals (hearing, motivation,
experience, demography, behavioral context) and can be difficult to
predict (Southall et al., 2007, Ellison et al., 2012). Based on what
the available science indicates and the practical need to use a
threshold based on a factor that is both predictable and measurable for
most activities, NMFS uses a generalized acoustic threshold based on
received level to estimate the onset of behavioral harassment. NMFS
predicts that marine mammals are likely to be behaviorally harassed in
a manner we consider Level B harassment when exposed to underwater
anthropogenic noise above received levels of 120 dB referenced to 1
micropascal (re 1 [mu]Pa) root mean square (rms) for continuous (e.g.,
vibratory pile-driving, DTH) and
[[Page 26450]]
above 160 dB re 1 [mu]Pa (rms) for non-explosive impulsive,
intermittent (e.g., impact driving, DTH) sources.
The Coast Guard's proposed activity includes the use of continuous
(vibratory, DTH) and impulsive (impact pile driving and DTH) sources,
and therefore the 120 and 160 dB re 1 [mu]Pa (rms) thresholds,
respectively, are applicable.
Level A harassment for non-explosive sources--NMFS' Technical
Guidance for Assessing the Effects of Anthropogenic Sound on Marine
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). The Coast Guard's proposed activity
includes the use of impulsive (impact pile driving and DTH) and non-
impulsive (vibratory, DTH) 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 [micro]Pa, and cumulative sound exposure level (LE)
has a reference value of 1[micro]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 the 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 estimating the area ensonified above the
acoustic thresholds, which include source levels and transmission loss
coefficient.
The sound field in the project area is the existing background
noise plus additional construction noise from the proposed project.
Marine mammals are expected to be affected via sound generated by the
primary components of the project (i.e., impact pile driving, vibratory
pile driving, vibratory pile removal, and DTH).
The actual durations of each installation method vary depending on
the type and size of the pile. In order to calculate distances to the
Level A harassment and Level B harassment sound thresholds for piles of
various sizes and equipment being used in this project, NMFS used
acoustic monitoring data from other locations to develop source levels
(Table 7). Note that piles and holes of differing sizes have different
sound source levels (SSLs). For simplicity and to be precautionary we
analyze the largest pile diameter of each type (e.g., 24-inch diameter)
even though it is possible at some locations in some situations smaller
pile diameters may be used or be removed.
Table 7--Sound Source Levels
------------------------------------------------------------------------
Sound source level
Method and pile type at 10 meters (dB) Literature source
------------------------------------------------------------------------
Timber Vibratory................ 152 RMS........... Greenbusch Group
2018.
24-inch Steel Pipe Vibratory.... 162 RMS........... Laughlin 2010.
Timber Impact................... 170 RMS, 160 SEL, CALTRANS 2015.
180 Pk.
Composite impact................ 153 RMS, 145 SEL.. CALTRANS 2020.
24-inch Steel Pipe Impact....... 190 RMS, 177 SEL, CALTRANS 2015.
203 Pk.
24-inch Concrete Impact......... 170 RMS, 159 SEL, Mukilteo Terminal
184 Pk. (WSDOT 2020).
DTH Non-impulsive component..... 167 RMS........... Heyvaert & Reyff
2021.
24-inch DTH Impulsive component. 159 SEL, 184 dB Pk Heyvaert & Reyff
2021.
------------------------------------------------------------------------
Note: It is assumed that noise levels during pile installation and
removal are similar. SEL = single strike sound exposure level; peak =
peak sound level; RMS = root mean square.
Level B Harassment Zones
Transmission loss (TL) is the decrease in acoustic intensity as an
acoustic pressure wave propagates out from a source. TL parameters vary
with frequency, temperature, sea conditions, current, source and
receiver depth, water depth, water chemistry, and bottom composition
and topography. The general formula for underwater TL is:
TL = B * Log10 (R1/R2),
where
[[Page 26451]]
TL = transmission loss in dB
B = transmission loss coefficient; for practical spreading equals 15
R1 = the distance of the modeled SPL from the driven pile, and
R2 = the distance from the driven pile of the initial measurement
The recommended TL coefficient for most nearshore environments is
the practical spreading value of 15. This value results in an expected
propagation environment that would lie between spherical and
cylindrical spreading loss conditions, which is the most appropriate
assumption for the Coast Guard's proposed activity.
Using the practical spreading model, the Coast Guard determined
underwater noise would fall below the behavioral effects thresholds of
120 dB rms or 160 dB rms for marine mammals at a maximum radial
distances from 46 m for impact driving of timber or concrete piles to
13,594 m for DTH (Table 8). These distances determine the maximum Level
B harassment zones for the project. It should be noted that based on
the geography of many of the sites, sound will not reach the full
distance of the Level B harassment isopleth. Generally, due to
interaction with land, only a portion of the possible area is
ensonified.
Table 8--Calculated Distances to Level B Harassment Isopleths
------------------------------------------------------------------------
Level B
Method and pile type isopleth (m)
------------------------------------------------------------------------
Timber Vibratory........................................ 1,359
24-inch Steel Pipe Vibratory............................ 6,310
Timber Impact........................................... 46
Composite Impact........................................ 3
24-inch Steel Pipe Impact............................... 1000
24-inch Concrete Impact................................. 46
DTH..................................................... 13,594
------------------------------------------------------------------------
Level A Harassment Zones
When the NMFS Technical Guidance (2016) was published, in
recognition of the fact that ensonified area/volume could be more
technically challenging to predict because of the duration component in
the new thresholds, we developed a User Spreadsheet that includes tools
to help predict a simple isopleth that can be used in conjunction with
marine mammal density or occurrence to help predict takes. We note that
because of some of the assumptions included in the methods used for
these tools, we anticipate that isopleths produced are typically going
to be overestimates of some degree, which may result in some degree of
overestimate of take by Level A harassment. However, these tools offer
the best way to predict appropriate isopleths when more sophisticated
three dimensional modeling methods are not available, and NMFS
continues to develop ways to quantitatively refine these tools, and
will qualitatively address the output where appropriate. For stationary
sources such as pile driving or DTH, NMFS User Spreadsheet predicts the
closest distance at which, if a marine mammal remained at that distance
the whole duration of the activity, it would not incur PTS.
Inputs used in the User Spreadsheet (Table 9), and the resulting
isopleths are reported below (Table 10). We analyzed scenarios with up
to five piles per day to account for maximum possible production rates.
Level A harassment thresholds for impulsive sound sources (impact pile
driving and DTH) are defined for both SELcum and Peak SPL, with the
threshold that results in the largest modeled isopleth for each marine
mammal hearing group used to establish the Level A harassment isopleth.
In this analysis, Level A harassment isopleths based on SELcum were
always larger than those based on Peak SPL.
Table 9--Inputs of Pile Driving and DTH Activity Used in User Spreadsheet
----------------------------------------------------------------------------------------------------------------
Duration
Weighting (minutes;
Method and pile type factor vibratory) or Piles per day
adjustment strikes per
pile (impact)
----------------------------------------------------------------------------------------------------------------
Timber Vibratory................................................ 2.5 50 5
24-inch Steel Pipe Vibratory.................................... 2.5 10 5
Timber Impact................................................... 2 100 5
Composite Impact................................................ 2 120 5
24-inch Steel Pipe Impact....................................... 2 400 1
24-inch Concrete Impact......................................... 2 184 5
24-inch DTH..................................................... 2 60 2
----------------------------------------------------------------------------------------------------------------
Note: Data for all equipment types were for transmission loss of 15*log(r) and distance of source level
measurements was 10 meters.
The above input scenarios lead to a PTS isopleth distance (Level A
harassment threshold) of 0 to 517.1 m, depending on the marine mammal
hearing group and scenario (Table 9).
Table 10--Calculated Distances to Level A Harassment Isopleths (m) During Pile Installation and Removal for Each
Hearing Group
----------------------------------------------------------------------------------------------------------------
High
Method and pile type Low frequency Mid frequency frequency Phocid Otariid
----------------------------------------------------------------------------------------------------------------
Timber Vibratory................ 1.5 0.1 2.2 0.9 0.1
24-inch Steel Pipe Vibratory.... 7.1 0.6 10.4 4.3 0.3
Timber Impact................... 18.4 0.7 21.9 9.9 0.7
Composite Impact................ 2.1 0.1 2.5 1.1 0.1
24-inch Steel Pipe Impact....... 215.8 7.7 257.1 115.5 8.4
24-inch Concrete Impact......... 27.7 1 33.0 14.8 1.1
24-inch DTH..................... 434.1 15.4 517.1 232.2 16.9
----------------------------------------------------------------------------------------------------------------
Note: a minimum 20-m shutdown zone, as proposed by the Coast Guard, will be implemented for all species and
activity types to prevent direct injury of marine mammals.
[[Page 26452]]
Marine Mammal Occurrence and Take Calculation and Estimation
In this section we provide the information about the presence,
density, or group dynamics of marine mammals that will inform the take
calculations. Here we describe how the information provided above is
brought together to produce a quantitative take estimate.
Available information regarding marine mammal occurrence and
abundance in the vicinity of the eight facilities includes monitoring
data from the NMFS Alaska Regional Office, prior incidental take
authorizations, and ESA consultations on additional projects (Table
11). When local density information is not available, data aggregated
in the Navy's Marine Mammal Species Density Database (U.S. Navy, 2019,
2020) for the Gulf of Alaska or Northwest Testing and Training areas
(Table 12) or nearby proxies from the monitoring data are used;
whichever gives the most precautionary take estimate was chosen.
Table 11--Marine Mammal Occurrence Data (per day) From Prior Projects
BILLING CODE 3510-22-P
[GRAPHIC] [TIFF OMITTED] TP28AP23.004
Note: NA indicates that occurrence data was not used for that
species and site combination. Density data for species/site
combinations listed as NA in this table are shown in Table 12.
[[Page 26453]]
Table 12--Marine Mammal Densities From Navy Data
------------------------------------------------------------------------
Gulf of Alaska/
Southeast Alaska Prince William
Stock facilities species Sound facilities
density (#/ species density (#/
km\2\) 1 2 3 km\2\) 3 4 5
------------------------------------------------------------------------
Gray whale...................... 0.016 0.048
Humpback whale Central North 0.002 0.093
Pacific........................
Humpback Whale Western North N/A 0.093
Pacific \6\....................
Fin whale....................... 0.0001 0.068
Minke whale..................... 0.001 0.006
Killer whale (General).......... N/A 0.005
Killer whale Resident........... 0.035 N/A
Killer whale Transient.......... 0.006 N/A
Pacific white-sided dolphin..... 0.085 0.020
Dall's porpoise................. 0.121 0.218
Harbor porpoise................. 0.010 0.455
California sea lion \7\......... 0.025 0
Northern fur seal............... 0.276 0.090
Steller sea lion................ 0.316 0.068
Harbor seal..................... 1.727 0.169
------------------------------------------------------------------------
\1\ Facilities including Ketchikan, Sitka, Juneau, and Petersburg.
\2\ Southeast Alaska density values generally from Western Behm Canal
values reported in U.S. Navy (2020).
\3\ Where species density values reported in the U.S. Navy (2020) and
U.S. Navy (2021) vary by time of year, the greatest value is presented
here as a conservative estimate.
\4\ Facilities including Kodiak, Seward, Valdez, and Cordova.
\5\ Gulf of Alaska/Prince William Sound species density values generally
from inshore or within the 500-1000 m isobath values reported in U.S.
Navy (2021).
\6\ The range for the Western North Pacific stock of humpback whales
does not extend to Southeast Alaska.
\7\ U.S. Navy 2020 density values for California sea lion do not include
Western Behm Canal and the value used here is from the San Juan
Islands, the next closest zone to the project area where a density
value is available.
The data on abundance and occurrence from prior projects is derived
from the following projects: (1) Kodiak--PSO monitoring reports from
dock repair projects in 2018 and 2020 (NMFS Alaska Region). (2) Sitka--
Data are from the Old Sitka Dock project (86 FR 22392, April 28, 2021).
(3) Ketchikan--Data are from the Tongass Narrows project (85 FR 673,
January 7, 2020) and other projects in preparation in the area. (4)
Valdez--Data are from monitoring for an oil spill response in late
April and early May 2020 (NMFS Alaska Region). (5) Juneau--Data are
from the Erickson Dock project (84 FR 65360, November 27, 2019) and the
Juneau Waterfront Improvement Project (85 FR 18562, April 2, 2020). (6)
Seward--An IHA application for the Seward Passenger Terminal project
recently received by NMFS included information resulting from
consultation with the Alaska SeaLife Center, the Kenai Fjords NPS,
local whale watching companies, and scientific literature to estimate
the occurrence of marine mammals in Seward.
To quantitatively assess exposure of marine mammals to noise from
pile driving and drilling activities when density estimates are most
appropriate we used the density estimate and the annual anticipated
number of work days for each activity (Table 2) at each facility to
determine the number of animals potentially harassed on any one day of
activity. The calculation is:
Exposure estimate = Density x harassment area x maximum days of
activity
For example, exposure estimates at the Ketchikan site for gray
whales were calculated by first finding the product of the SE Alaska
species density (0.0155 animals/km\2\), the ensonified area for the
activity (e.g., 1.45 km\2\ for vibratory pile driving of timber piles),
for the anticipated number of days for that activity each year (10
days/year). After finding the product for each activity for each year,
the values were summed to find the total number of takes for that
species across all 5 years. This method was used for all species for
which local occurrence data were not available.
When occurrence data from prior projects are the most appropriate
data for exposure estimation, we used the occurrence estimate (number/
unit of time) and the maximum work days (converted to the appropriate
unit of time as needed) per year (Table 2) at each facility to
determine the number of animals potentially exposed to an activity. The
calculation is:
Exposure estimate = Occurrence/time x time of activity
And these values are then summed across activity/pile types.
When exposure estimates from density data are used for sites with
no local occurrence data and the exposure estimate is less than a
typical group size, we increase the estimated take based on that group
size to account for the possibility a single group entering the project
area would exceed authorized take. Table 13 shows the source of data
used in exposure estimates.
The size of the Level B harassment zones for each facility and
activity are in Table 14. Level A harassment take is only proposed for
the activities creating the largest Level A harassment zones: DTH and
impact driving of steel pipe piles (see Figures 6-2 through Figure 6-9
in the Coast Guard's application), and for species that would be
difficult for observers to detect within large, unconfined zones: high
frequency cetaceans and phocid pinnipeds. The topography of sites and
facilities in Seward, Juneau, Sitka, and Petersburg are restricted such
that noise would be confined to a small area or basin, and PSOs would
be able to observe any marine mammals approaching the activity are and
Level A shutdown zone with enough warning that work could be stopped
before a take by Level A harassment would occur. The facilities at the
remaining four sites (Kodiak, Ketchikan, Valdez, and Cordova) are less
confined, and PSOs may be unable
[[Page 26454]]
to observe cryptic species at the calculated isopleths. Therefore, we
conservatively propose small numbers of take by Level A harassment for
high frequency cetaceans and phocid pinnipeds at these sites.
Table 13--Source of Data Used To Estimate Exposure for Each Species or
Stock and Facility
[GRAPHIC] [TIFF OMITTED] TP28AP23.005
Abbreviations for source data are: N--Navy density data, Ke--
Ketchikan, Sit--Sitka, Sew--Seward, J--Juneau, V--Valdez, Ko--Kodiak,
G--estimate rounded up to 1 group *--Not applicable (no take).
[[Page 26455]]
Table 14--Level B Harassment Areas at Each Facility (km\2\) for Each Method and/or Pile Type
--------------------------------------------------------------------------------------------------------------------------------------------------------
Timber Steel Composite \1\
Facility vibratory vibratory Timber impact impact Steel impact DTH
--------------------------------------------------------------------------------------------------------------------------------------------------------
Kodiak.................................................. 1.3 4.51 0.006 0 1.03 4.51
Sitka................................................... 0.87 5.67 0.007 0 0.56 ..............
Ketchikan............................................... 1.45 7.29 0.004 0 1.06 10.1
Valdez.................................................. 2.62 40.21 0.007 0 1.43 ..............
Cordova................................................. .............. 23.42 .............. .............. 1.57 ..............
Juneau.................................................. 1.62 NA 0.003 0 NA ..............
Petersburg.............................................. 1.63 2.89 0.006 0 1.33 ..............
Seward.................................................. .............. 0.24 .............. .............. 0.24 ..............
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Composite Level B harassment zone (3 m) is completely encompassed by the 20 m shutdown zone proposed by Coast Guard.
The calculated Level B harassment takes using the above data for
each year are in Table 15 and for each facility over the course of the
proposed rule are in Table 16. See Tables 6-14 through 6-21 in the
application and the supplemental memo (composite piles) for detailed
calculations of estimated take for each pile type and activity at each
facility. The calculated Level A harassment takes using the above data
for each year are in Table 17 and for each facility over the course of
the proposed rule are in Table 18.
Table 19 summarizes Level A and Level B harassment take proposed to
be authorized for the project as well as the percentage of each stock
expected to be taken in the year with the maximum annual takes over the
course of the project.
Table 15--Proposed Level B Harassment Take in Each of the Five Years and in Total for the Proposed Rule
--------------------------------------------------------------------------------------------------------------------------------------------------------
Stock Year 1 Year 2 Year 3 Year 4 Year 5 Total
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gray whale.............................................. 8 8 8 8 8 40
Humpback whale *........................................ 160 174 164 160 160 818
Fin whale............................................... 13 23 13 13 13 75
Minke whale............................................. 5 6 5 5 5 25
Killer whale *.......................................... 103 344 144 103 103 797
Pacific white-sided dolphin............................. 215 297 337 215 215 1,379
Dall's porpoise......................................... 114 147 115 114 114 604
Harbor porpoise Southeast Alaska........................ 72 72 72 72 72 360
Harbor porpoise Gulf of Alaska.......................... 47 115 48 47 47 304
California sea lion..................................... 10 10 10 10 10 50
Northern fur seal....................................... 9 23 131 9 9 181
Steller sea lion Eastern................................ 425 425 425 425 425 2,125
Steller sea lion Western................................ 24 34 32 24 24 138
Harbor seal Prince William Sound........................ 148 442 344 148 148 1,230
Harbor seal Lynn Canal/Stephens Passage................. 860 860 860 860 860 4,300
Harbor seal Sitka/Chatham Straight...................... 230 230 230 230 230 1,150
Harbor seal Clarence Strait............................. 412 412 412 412 412 2,060
Harbor seal South Kodiak................................ 17 17 17 17 17 85
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Stocks of killer whales and humpback whales cannot generally be identified in the field so total proposed take is listed at species level only.
[[Page 26456]]
Table 16--Proposed Level B Harassment Take for Each Facility
[GRAPHIC] [TIFF OMITTED] TP28AP23.006
[[Page 26457]]
[GRAPHIC] [TIFF OMITTED] TP28AP23.007
Table 17--Proposed Level A Harassment Take in Each Year and in Total for the Proposed Rule
--------------------------------------------------------------------------------------------------------------------------------------------------------
Stock 1 2 3 4 5 Total
--------------------------------------------------------------------------------------------------------------------------------------------------------
Dall's porpoise Alaska.................................. 86 98 86 86 86 442
Harbor porpoise Southeast Alaska........................ 20 20 20 20 20 100
Harbor porpoise Gulf of Alaska.......................... 55 85 55 55 55 305
Harbor seal South Kodiak................................ 20 20 20 20 20 100
Harbor seal Clarence Strait............................. 20 20 20 20 20 100
--------------------------------------------------------------------------------------------------------------------------------------------------------
Table 18--Proposed Level A Harassment Take for Each Facility of the
Proposed Rule
[GRAPHIC] [TIFF OMITTED] TP28AP23.008
[Define ``NA''].
BILLING CODE 3510-22-C
[[Page 26458]]
Table 19--Proposed Level A and Level B Harassment Take and Percent of Stock for the Highest Annual Estimated
Takes of the Project
----------------------------------------------------------------------------------------------------------------
Percent of
Stock Level A Level B Total stock
----------------------------------------------------------------------------------------------------------------
Gray whale Eastern North Pacific................ 0 8 8 0.03
Humpback whale Central North Pacific Humpback 0 174 174 \a\ 1.7
whale Western North Pacific.................... \a\ 0.3
Fin whale Northeast Pacific..................... 0 23 23 N/A
Minke whale Alaska.............................. 0 6 6 N/A
Killer whale Alaska Resident.................... 0 344 344 \a\ 14.65
Killer whale Gulf of Alaska, Aleutian Islands, .............. .............. .............. \a\ 13.95
Bearing Sea Transient..........................
Killer whale Northern Resident.................. .............. .............. .............. \a\ 3.23
Killer whale AT1 Transient \b\.................. .............. .............. .............. a b 0
Killer whale West Coast Transient............... .............. .............. .............. \a\ 3.23
Pacific white-sided dolphin North Pacific....... 0 397 397 1.48
Dall's porpoise Alaska.......................... 98 147 245 N/A
Harbor porpoise Southeast Alaska................ 20 72 92 8.70
Harbor porpoise Gulf of Alaska.................. 85 115 245 0.64
California sea lion U.S......................... 0 10 10 0.00
Northern fur seal Eastern Pacific............... 0 131 131 0.02
Steller sea lion Eastern........................ 0 425 425 0.98
Steller sea lion Western........................ 0 34 34 0.06
Harbor seal Prince William Sound................ 0 442 442 1.06
Harbor seal Lynn Canal/Stephens Passage......... 0 860 860 7.25
Harbor seal Sitka/Chatham Straight.............. 0 230 230 1.94
Harbor seal Clarence Strait..................... 20 412 432 1.74
Harbor seal South Kodiak........................ 20 17 37 0.17
----------------------------------------------------------------------------------------------------------------
\a\ Percent of stock impacted for humpback and killer whales was estimated assuming each stock is taken in
proportion to its population size at any given facility site from the total take (E.g., for killer whales at
Kodiak, the Alaska Resident and Gulf of Alaska stocks are the only stocks present. Of these, the Alaska
Resident stock represents approximately 80% of the available animals, and GOA represents approximately 20%,
giving 4 total Alaska Resident killer whale takes over the 5 years, and 1 GOA killer whale take. This division
was replicated for each site for all present stocks. Takes were then calculated for each site based on the
proportional representation of available stocks. Total takes for each stock are shown as a percentage of the
stock size.)
\b\ AT1 Transient killer whales have the potential to be present in the Seward, Valdez, and Cordova, however we
do not expect any of the seven individuals to approach the project sites, therefore no take is expected to
occur for this stock and none is proposed for authorization.
Proposed Mitigation
Under section 101(a)(5)(A) of the MMPA, NMFS must set forth the
permissible methods of taking pursuant to such activity, and other
means of effecting the least practicable adverse impact on such species
or stock and its habitat, paying particular attention to rookeries,
mating grounds, and areas of similar significance, and on the
availability of such species or stock for taking for certain
subsistence uses (``least practicable adverse impact''). NMFS does not
have a regulatory definition for ``least practicable adverse impact.''
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 and impact on
operations.
The mitigation strategies described below largely follow those
required and successfully implemented under previous incidental take
authorizations issued in association with similar construction
activities. Measurements from similar pile driving events were coupled
with practical spreading loss and other relevant information to
estimate harassment zones (see Estimated Take); these zones were used
to develop mitigation measures for DTH and pile driving activities at
the eight facilities. Background discussion related to underwater sound
concepts and terminology is provided in the section on Description of
Sound Sources, earlier in this preamble.
The following mitigation measures are proposed:
Avoid direct physical interaction with marine mammals
during construction activity. If a marine mammal comes within 20 m of
such activity, operations must cease and vessels must reduce speed to
the minimum level required to maintain steerage and safe working
conditions. The Coast Guard has elected to establish a minimum shutdown
zone size of 20 m, larger than NMFS' typical requirement of a minimum
10 m shutdown zone;
Conduct training between construction supervisors and
crews and the marine mammal monitoring team and relevant Coast Guard
staff prior to the start of all pile driving, cutting or power washing
activity and when new personnel join the work, so that
responsibilities, communication
[[Page 26459]]
procedures, monitoring protocols, and operational procedures are
clearly understood;
DTH and pile driving activity must be halted upon
observation of either a species for which incidental take is not
authorized or a species for which incidental take has been authorized
but the authorized number of takes has been met, entering or within the
harassment zone;
The Coast Guard will establish and implement a minimum
shutdown zone of 20 m during all pile driving and removal activity, as
well as the larger zones indicated in Table 20. The purpose of a
shutdown zone is generally to define an area within which shutdown of
the activity would occur upon sighting of a marine mammal (or in
anticipation of an animal entering the defined area). Shutdown zones
typically vary based on the activity type and marine mammal hearing
group. The Coast Guard has elected to establish a minimum shutdown zone
size of 20 m, larger than NMFS' typical requirement of a minimum 10 m
shutdown zone;
Employ PSOs and establish monitoring locations as
described in the application, any issued LOA and the Marine Mammal
Monitoring Plan. The Holder must monitor the project area to the
maximum extent possible based on the required number of PSOs, required
monitoring locations, and environmental conditions. For all DTH and
pile driving at least one PSO must be used. The PSO will be stationed
as close to the activity as possible;
The placement of the PSOs during all DTH and pile driving
activities will ensure that the entire shutdown zone is visible during
pile installation. Should environmental conditions deteriorate such
that marine mammals within the entire shutdown zone will not be visible
(e.g., fog, heavy rain), pile driving must be delayed until the PSO is
confident marine mammals within the shutdown zone could be detected;
Monitoring must take place from 30 minutes prior to
initiation of DTH and pile driving activity through 30 minutes post-
completion of DTH and pile driving activity. Pre-start clearance
monitoring must be conducted during periods of visibility sufficient
for the lead PSO to determine the shutdown zones clear of marine
mammals. DTH and pile driving may commence following 30 minutes of
observation when the determination is made;
If DTH or pile driving is delayed or halted due to the
presence of a marine mammal, the activity may not commence or resume
until either the animal has voluntarily exited and been visually
confirmed beyond the shutdown zone or 15 minutes have passed without
re-detection of the animal;
The Coast Guard must use soft start techniques prior to
beginning impact pile driving. Soft start requires contractors to
provide an initial set of three strikes at reduced energy, followed by
a 30-second waiting period, then two subsequent reduced-energy strike
sets. A soft start must be implemented at the start of each day's
impact pile driving and at any time following cessation of impact pile
driving for a period of 30 minutes or longer;
As described previously, the Coast Guard would adhere to
in-water work windows designed for the protection of fishes and marine
mammals under other permitting requirements;
The Coast Guard has volunteered that in-water construction
activities will occur only during civil daylight hours; and
Pile driving activity must be halted upon observation of
either a species for which incidental take is not authorized or a
species for which incidental take has been authorized but the
authorized number of takes has been met, entering or within the largest
applicable harassment zone.
Table 20--Shutdown Zones (m) for Each Pile Type and Method
----------------------------------------------------------------------------------------------------------------
High
Method and pile type Low frequency Mid frequency frequency Phocid Otariid
cetacean cetacean cetacean
----------------------------------------------------------------------------------------------------------------
Timber Vibratory................ 20 20 20 20 20
24-inch Steel Pipe Vibratory.... 20 20 20 20 20
Timber Impact................... 20 20 30 20 20
Composite Impact................ 20 20 20 20 20
24-inch Steel Pipe Impact....... 220 20 260 120 20
24-inch Concrete Impact......... 30 20 40 20 20
24-inch DTH..................... 440 20 520 240 20
----------------------------------------------------------------------------------------------------------------
Based on our evaluation of the applicant's proposed measures, as
well as other measures considered by NMFS, NMFS has preliminarily
determined that the proposed mitigation measures provide the means
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.
Proposed Monitoring and Reporting
In order to issue an LOA for an activity, section 101(a)(5)(A) of
the MMPA states that NMFS must set forth requirements pertaining to the
monitoring and reporting of the authorized 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
present in the proposed 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
[[Page 26460]]
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 important physical components of marine
mammal habitat).
Mitigation and monitoring effectiveness.
Visual Monitoring
Monitoring must be conducted by qualified, NMFS-approved
PSOs, in accordance with the following: PSOs must be independent (i.e.,
not construction personnel) and have no other assigned tasks during
monitoring periods. At least one PSO must have prior experience
performing the duties of a PSO during construction activity pursuant to
a NMFS-issued incidental take authorization. Other PSOs may substitute
other relevant experience, education (degree in biological science or
related field), or training. PSOs must be approved by NMFS prior to
beginning any activity subject to these regulations.
PSOs must record all observations of marine mammals as
described in any issued LOA and the NMFS-approved Marine Mammal
Monitoring Plan, regardless of distance from the pile being driven.
PSOs shall document any behavioral reactions in concert with distance
from piles being driven or removed;
PSOs must have the following additional qualifications:
Ability to conduct field observations and collect data
according to assigned protocols;
Experience or training in the field identification of
marine mammals, including the identification of behaviors;
Sufficient training, orientation, or experience with the
construction operation to provide for personal safety during
observations;
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 in-water construction
activities were conducted; dates, times, and reason for implementation
of mitigation (or why mitigation was not implemented when required);
and marine mammal behavior; and
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;
The Coast Guard must establish the following monitoring
locations. For all pile driving activities, a minimum of one PSO must
be assigned to the active pile driving location to monitor the shutdown
zones and as much of the Level B harassment zones as possible. Proposed
monitoring locations are shown in Figures 6-1 through 6-41 of the
application and summarized in Table 21. The number of PSOs required at
each facility is dependent upon the size of the Level B harassment area
as well as the topography of the activity site and a PSO's ability to
observe the estimated Level A harassment area for the particular
activity.
Table 21--Summary of Protected Species Observer (PSO) Coverage at Each
Facility
------------------------------------------------------------------------
Maximum number
Facility of PSOs
------------------------------------------------------------------------
Kodiak.................................................. 2
Sitka................................................... 5
Ketchikan............................................... 5
Valdez.................................................. 3
Cordova................................................. 3
Juneau.................................................. 3
Petersburg.............................................. 3
Seward.................................................. 2
------------------------------------------------------------------------
Reporting
A draft marine mammal monitoring report will be submitted to NMFS
within 90 days after the completion of pile driving activities, or 60
days prior to a requested date of issuance of any future LOAs for
projects at the same location, whichever comes first. The report will
include an overall description of work completed, a narrative regarding
marine mammal sightings, and associated PSO data sheets. Specifically,
the report must include:
Dates and times (begin and end) of all marine mammal
monitoring.
Construction activities occurring during each daily
observation period, including the number and type of piles driven or
removed and by what method (i.e., impact or cutting) and the total
equipment duration for cutting for each pile or total number of strikes
for each pile (impact driving, DTH).
PSO locations during marine mammal monitoring.
Environmental conditions during monitoring periods (at
beginning and end of PSO shift and whenever conditions change
significantly), including Beaufort sea state and any other relevant
weather conditions including cloud cover, fog, sun glare, and overall
visibility to the horizon, and estimated observable distance;
Upon observation of a marine mammal, the following
information: name of PSO who sighted the animal(s), and PSO location
and activity at time of sighting; time of sighting; identification of
the animal(s) (e.g., genus/species, lowest possible taxonomic level, or
unidentified), PSO confidence in identification, and the composition of
the group if there is a mix of species; distance and bearing of each
marine mammal observed relative to the pile being driven for each
sighting (if pile driving was occurring at time of sighting); Estimated
number of animals (min/max/best estimate); estimated number of animals
by cohort (adults, juveniles, neonates, group composition, etc.);
animal's closest point of approach and estimated time spent within the
harassment zone; and description of any marine mammal behavioral
observations (e.g., observed behaviors such as feeding or traveling),
including an assessment of behavioral responses thought to have
resulted from the activity (e.g., no response or changes in behavioral
state such as ceasing feeding, changing direction, flushing, or
breaching);
Number of marine mammals detected within the harassment
zones, by species.
Detailed information about any implementation of any
mitigation triggered (e.g., shutdowns and delays), a description of
specific actions that ensued, and resulting changes in behavior of the
animal(s), if any.
If no comments are received from NMFS within 30 days, the draft
final report will constitute the final report. If comments are
received, a final report addressing NMFS comments must be submitted
within 30 days after receipt of comments.
Reporting Injured or Dead Marine Mammals
In the event that personnel involved in the construction activities
discover an injured or dead marine mammal, the LOA-holder must
immediately cease the specified activities and report the incident to
the Office of Protected Resources (OPR) ([email protected]), NMFS and to Alaska Regional Stranding Coordinator as
soon as feasible. If the death or injury was likely caused by the
specified activity, the Coast Guard must immediately cease the
specified activities until NMFS is able to review the circumstances of
the incident and determine what, if any, additional measures are
appropriate to ensure compliance with the terms of the LOA
[[Page 26461]]
and regulations. The LOA-holder must not resume their activities until
notified by NMFS. The report must include the following information:
Time, date, and location (latitude/longitude) of the first
discovery (and updated location information if known and applicable);
Species identification (if known) or description of the
animal(s) involved;
Condition of the animal(s) (including carcass condition if
the animal is dead);
Observed behaviors of the animal(s), if alive;
If available, photographs or video footage of the
animal(s); and
General circumstances under which the animal was
discovered.
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 responses (e.g., intensity, duration), the context
of any responses (e.g., critical reproductive time or location,
migration), 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 environmental 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).
DTH and pile driving activities associated with the maintenance
projects, as described previously, have the potential to disturb or
displace marine mammals. Specifically, the specified activities may
result in take, in the form of Level B harassment (behavioral
disturbance) only for all species other than the harbor porpoise,
harbor seal, and Dall's porpoise from underwater sounds generated from
DTH and pile driving. Potential takes could occur if individual marine
mammals are present in the ensonified zone when DTH or pile driving is
happening.
No serious injury or mortality would be expected even in the
absence of the proposed mitigation measures. For all species other than
the harbor seal, harbor porpoise and Dall's porpoise, no Level A
harassment is anticipated due to the confined nature of the facilities,
ability to position PSOs at stations from which they can observe the
entire shutdown zones, and the high visibility of the species expected
to be present at each site. Additionally, much of the anticipated
activity would involve vibratory driving or installation of small-
diameter, non-steel piles, and include measures designed to minimize
the possibility of injury. The potential for injury is small for mid-
and low-frequency cetaceans and sea lions, and is expected to be
essentially eliminated through implementation of the planned mitigation
measures--soft start (for impact driving), and shutdown zones.
DTH and impact driving, as compared with vibratory driving, have
source characteristics (short, sharp pulses with higher peak levels and
much sharper rise time to reach those peaks) that are potentially
injurious or more likely to produce severe behavioral reactions. Given
sufficient notice through use of soft start, marine mammals are
expected to move away from a sound source that is annoying prior to its
becoming potentially injurious or resulting in more severe behavioral
reactions. Environmental conditions in these waters are expected to
generally be good, with calm sea states, and we expect conditions would
allow a high marine mammal detection capability, enabling a high rate
of success in implementation of shutdowns to avoid injury.
As described previously, there are multiple species that should be
considered rare in the proposed project areas and for which we propose
to authorize only nominal and precautionary take. Therefore, we do not
expect meaningful impacts to these species (i.e., gray whale, minke
whale, transient and resident killer whales, and California sea lions)
and preliminarily find that the total marine mammal take from each of
the specified activities will have a negligible impact on these marine
mammal species.
For remaining species, we discuss the likely effects of the
specified activities in greater detail. Effects on individuals that are
taken by Level B harassment, on the basis of reports in the literature
as well as monitoring from other similar activities, will likely be
limited to reactions such as increased swimming speeds, increased
surfacing time, or decreased foraging (if such activity were occurring)
(e.g., Thorson and Reyff, 2006; U.S. Navy, 2012; Lerma, 2014). Most
likely, individuals will simply move away from the sound source and be
temporarily displaced from the areas of pile driving, although even
this reaction has been observed primarily only in association with
impact pile driving. The pile driving activities analyzed here are
similar to, or less impactful than, numerous other construction
activities conducted in Alaska, San Francisco Bay and in the Puget
Sound region, which have taken place with no known long-term adverse
consequences from behavioral harassment.
The U.S. Navy has conducted multi-year activities potentially
affecting marine mammals, and typically involving greater levels of
activity than is contemplated here in various locations such as San
Diego Bay and Puget Sound. Reporting from these activities has
similarly reported no apparently consequential behavioral reactions or
long-term effects on marine mammal populations (Lerma, 2014; U.S. Navy,
2016a and b).
Repeated exposures of individuals to relatively low levels of sound
outside of preferred habitat areas are unlikely to significantly
disrupt critical behaviors. Thus, even repeated Level B harassment of
some small subset of the overall stock is unlikely to result in any
significant realized decrease in viability for the affected
individuals, and thus would not result in any adverse impact to the
stock as a whole. Level B harassment will be reduced to the level of
least practicable adverse impact through use of mitigation measures
described herein and, if sound produced by project activities is
sufficiently disturbing, animals are likely to simply avoid the area
while the activity is occurring. While vibratory driving or DTH
associated with some project components may produce sound at distances
of many kilometers from the pile driving site, thus intruding on
higher-quality habitat, the project sites themselves and the majority
of sound fields produced by the specified activities are within
industrialized areas. Therefore, we expect that animals annoyed by
project sound would simply avoid the area and use more-preferred
habitats.
In addition to the expected effects resulting from authorized Level
B
[[Page 26462]]
harassment, we anticipate that harbor seals, harbor porpoises, and
Dall's porpoises may sustain some limited Level A harassment in the
form of auditory injury at four of the facilities, assuming they remain
within a given distance of the pile driving activity for the full
number of pile strikes or DTH strikes. Considering the short duration
to impact drive or vibrate each pile and breaks between pile
installations (to reset equipment and move pile into place), this means
an animal would have to remain within the area estimated to be
ensonified above the Level A harassment threshold for multiple hours.
This is highly unlikely given marine mammal movement throughout the
area. Harbor seals and porpoises in these locations that do experience
PTS would likely only receive slight PTS, i.e., minor degradation of
hearing capabilities within regions of hearing that align most
completely with the energy produced by DTH or pile driving, i.e., the
low-frequency region below 2 kHz, not severe hearing impairment or
impairment in the regions of greatest hearing sensitivity. If hearing
impairment occurs, it is most likely that the affected animal would
lose a few decibels in its hearing sensitivity, which in most cases is
not likely to meaningfully affect its ability to forage and communicate
with conspecifics. As described above, we expect that marine mammals
would be likely to move away from a sound source that represents an
aversive stimulus, especially at levels that would be expected to
result in PTS, given sufficient notice through use of soft start.
Shutdown zones for the porpoises are only slightly smaller than the
extent of the Level A harassment zones, further minimizing the chances
for PTS or more severe effects.
In addition, although affected humpback whales and Steller sea
lions may be from DPSs that are listed under the ESA, it is unlikely
that minor noise effects in a small, localized area of sub-optimal
habitat would have any effect on the stocks' ability to recover. In
combination, we believe that these factors, as well as the available
body of evidence from other similar activities, demonstrate that the
potential effects of the specified activities will have only minor,
short-term effects on individuals. The specified activities are not
expected to impact rates of recruitment or survival and will therefore
not result in population-level impacts.
In summary and as described above, the following factors primarily
support our preliminary determination that the impacts resulting from
this activity are not expected to adversely affect the species or stock
through effects on annual rates of recruitment or survival:
No mortality is anticipated or authorized.
Use of soft start (for impact driving) is expected to
minimize Level A harassment.
No important habitat areas have been identified within the
project area.
For all species, the project locations are a very small
and generally peripheral part of their range.
Authorized Level A harassment would be very small amounts
and of low degree.
Monitoring reports from similar work in many of the
locations in Alaska have documented little to no effect on individuals
of the same species impacted by the specified 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 proposed monitoring and
mitigation measures, NMFS preliminarily finds that the total marine
mammal take from the proposed activities will have a negligible impact
on the affected marine mammal species or stocks.
Small Numbers
As noted above, only small numbers of incidental take may be
authorized under section 101(a)(5)(A) of the MMPA for specified
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 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, 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.
The amount of take NMFS proposes to authorize is below one-third of
the estimated stock abundance of all species and stocks (take of
individuals is less than 14 percent of the abundance of the affected
stocks for the year of this rulemaking with the maximum amount of
activity; see Table 19). This is likely a conservative estimate because
it assumes all takes are of different individual animals, which is
likely not the case. Some individuals may return multiple times in a
day, but PSOs would count them as separate takes if they cannot be
individually identified.
For fin whale, minke whale, Dall's porpoise, and Southeast Alaska
harbor porpoise, no valid abundance estimate for the entire stock is
available. There is no stock-wide abundance estimate for Northeast
Pacific fin whales. However, Muto et al. (2021) estimate the minimum
stock size for the areas surveyed is 2,554. Therefore, the 23 maximum
annual authorized takes of this stock represents small numbers of this
stock. There is no stock-wide abundance estimate for the Alaska stock
of minke whales. However, Muto et al. (2021) show over 2,000 animals
for areas surveyed recently. Therefore, the six maximum annual
authorized takes of this stock represents small numbers of this stock.
The Alaska stock of Dall's porpoise has no official NMFS abundance
estimate for this area, as the most recent estimate is greater than 8
years old. Nevertheless, the most recent estimate was 83,400 animals
and it is unlikely this number has drastically declined. Therefore, the
245 maximum annual authorized takes of this stock represents small
numbers of this stock. There is no stock-wide abundance estimate for
the Southeast Alaska stock of harbor porpoises. However, Muto et al.
(2021) estimate the minimum stock size for the areas surveyed is 1,057.
Therefore, the 92 maximum annual authorized takes of this stock
represents small numbers of this stock. Therefore, we preliminarily
find that small numbers of marine mammals will be taken relative to the
population size of all stocks.
Based on the analysis contained herein of the proposed activity
(including the proposed mitigation and monitoring measures) and the
anticipated take of marine mammals, NMFS preliminarily finds that small
numbers of marine mammals will be taken relative to the population
sizes of the affected species or stocks.
Unmitigable Adverse Impact Analysis and Determination
In order to issue regulations and LOAs, NMFS must find that the
specified activity will not have an ``unmitigable adverse impact'' on
the subsistence uses of the affected marine mammal species or stocks by
Alaskan 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
[[Page 26463]]
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.
As discussed above in the Effects of Specified Activities on
Subsistence Uses of Marine Mammals section, subsistence harvest of
harbor seals and other marine mammals is rare in the project areas and
local subsistence users have not expressed concern about this project.
All project activities will take place within industrialized areas
where subsistence activities do not generally occur. The project also
will not have an adverse impact on the availability of marine mammals
for subsistence use at locations farther away, where these construction
activities are not expected to take place. Some minor, short-term
harassment of the harbor seals could occur, but any effects on
subsistence harvest activities in the region will be minimal, and not
have an adverse impact.
Based on the effects and location of the specified activity, and
the mitigation and monitoring measures, NMFS has preliminarily
determined that there will not be an unmitigable adverse impact on
subsistence uses from the Coast Guard's planned activities.
Adaptive Management
The regulations governing the take of marine mammals incidental to
Coast Guard maintenance construction activities would contain an
adaptive management component.
The reporting requirements associated with this proposed rule are
designed to provide NMFS with monitoring data from the previous year to
allow consideration of whether any changes are appropriate. The use of
adaptive management allows NMFS to consider new information from
different sources to determine (with input from the Coast Guard
regarding practicability) on an annual basis if mitigation or
monitoring measures should be modified (including additions or
deletions). Mitigation measures could be modified if new data suggests
that such modifications would have a reasonable likelihood of reducing
adverse effects to marine mammals and if the measures are practicable.
The following are some of the possible sources of applicable data
to be considered through the adaptive management process: (1) results
from monitoring reports, as required by MMPA authorizations; (2)
results from general marine mammal and sound research; and (3) any
information which reveals that marine mammals may have been taken in a
manner, extent, or number not authorized by these regulations or
subsequent LOAs.
Endangered Species Act
Section 7(a)(2) of the Endangered Species Act of 1973 (16 U.S.C.
1531 et seq.) requires that each Federal agency insure that any action
it authorizes, funds, or carries out is not likely to jeopardize the
continued existence of any endangered or threatened species or result
in the destruction or adverse modification of designated critical
habitat. To ensure ESA compliance for the issuance of regulations and
LOAs, NMFS consults internally, in this case with the Alaska Regional
Office, whenever we propose to authorize take for endangered or
threatened species.
NMFS is proposing to authorize take of Western DPS Steller sea
lions (Eumetopias jubatus) and Mexico DPS of humpback whales (Megaptera
novaeangliae), which are listed under the ESA. NMFS' Office of
Protected Resources has requested initiation of Section 7 consultation
with the NMFS Alaska Regional Office for the issuance of these
regulations and LOA. NMFS will conclude the ESA consultation prior to
reaching a determination regarding the proposed issuance of the
authorization.
Request for Information
NMFS requests interested persons to submit comments, information,
and suggestions concerning the Coast Guard's request and the proposed
regulations (see ADDRESSES). All comments will be reviewed and
evaluated as we prepare a final rule and make final determinations on
whether to issue the requested authorization. This document and
referenced documents provide all environmental information relating to
our proposed action for public review.
Classification
Pursuant to the procedures established to implement Executive Order
12866, the Office of Management and Budget has determined that this
proposed rule is not significant.
Pursuant to section 605(b) of the Regulatory Flexibility Act (RFA),
the Chief Counsel for Regulation of the Department of Commerce has
certified to the Chief Counsel for Advocacy of the Small Business
Administration that this proposed rule, if adopted, would not have a
significant economic impact on a substantial number of small entities.
The Coast Guard is the sole entity that would be subject to the
requirements in these proposed regulations, and the Coast Guard is not
a small governmental jurisdiction, small organization, or small
business, as defined by the RFA. Because of this certification, a
regulatory flexibility analysis is not required and none has been
prepared.
This proposed rule does not contain a collection-of-information
requirement subject to the provisions of the Paperwork Reduction Act
because the applicant is a federal agency.
List of Subjects in 50 CFR Part 217
Exports, Fish, Imports, Indians, Labeling, Marine mammals,
Penalties, Reporting and recordkeeping requirements, Seafood,
Transportation.
Dated: April 20, 2023.
Samuel D. Rauch, III,
Deputy Assistant Administrator for Regulatory Programs, National Marine
Fisheries Service.
For reasons set forth in the preamble, NMFS proposes to amend 50
CFR part 217 as follows:
PART 217--REGULATIONS GOVERNING THE TAKING OF MARINE MAMMALS
INCIDENTAL TO SPECIFIED ACTIVITES
0
1. The authority citation for part 217 continues to read as follows:
Authority: 16 U.S.C. 1361 et seq.
0
2. Add subpart T, consisting of Sec. Sec. 217.190 through 217.199, to
read as follows:
Subpart T--Taking Marine Mammals Incidental to U.S. Coast Guard
Alaska Facility Maintenance and Repair Activities
Sec.
217.190 Specified activity and specified geographical region.
217.191 Effective dates.
217.192 Permissible methods of taking.
217.193 Prohibitions.
217.194 Mitigation requirements.
217.195 Requirements for monitoring and reporting.
217.196 Letters of Authorization.
217.197 Renewals and modifications of Letters of Authorization.
217.198-217.199 [Reserved]
Sec. 217.190 Specified activity and specified geographical region.
(a) Regulations in this subpart apply only to incidental taking of
marine mammals by the U.S. Coast Guard (Coast Guard) and those persons
it authorizes or funds to conduct activities on its behalf in the areas
outlined in paragraph (b) of this section and that occurs incidental to
maintenance construction activities.
(b) The taking of marine mammals by the Coast Guard may be
authorized in a Letter of Authorization (LOA) only if it occurs within
Gulf of Alaska waters in
[[Page 26464]]
the vicinity of one of the following eight Coast Guard facilities:
Kodiak, Sitka, Ketchikan, Valdez, Cordova, Juneau, Petersburg, and
Seward.
Sec. 217.191 Effective dates.
Regulations in this subpart are effective from [EFFECTIVE DATE OF A
FINAL RULE], through [DATE 5 YEARS AFTER THE EFFECTIVE DATE OF A FINAL
RULE].
Sec. 217.192 Permissible methods of taking.
Under LOAs issued pursuant to Sec. 216.106 of this chapter and
Sec. 217.196, the Holder of the LOA (hereinafter ``Coast Guard'') may
incidentally, but not intentionally, take marine mammals within the
area described in Sec. 217.190(b) by Level A or Level B harassment
associated with maintenance construction activities, provided the
activity is in compliance with all terms, conditions, and requirements
of the regulations in this subpart and the appropriate LOA.
Sec. 217.193 Prohibitions.
Except for takings described in Sec. 217.192 and authorized by a
LOA issued under Sec. 216.106 of this chapter and Sec. 217.196, it
shall be unlawful for any person to do any of the following in
connection with the activities described in Sec. 217.190 may:
(a) Violate, or fail to comply with, the terms, conditions, and
requirements of this subpart or a LOA issued under Sec. 216.106 of
this chapter and Sec. 217.196;
(b) Take any marine mammal not specified in such LOAs;
(c) Take any marine mammal specified in such LOAs in any manner
other than as authorized;
(d) Take a marine mammal specified in such LOAs after NMFS
determines such taking results in more than a negligible impact on the
species or stocks of such marine mammal; or
(e) Take a marine mammal specified in such LOAs after NMFS
determines such taking results in an unmitigable adverse impact on the
species or stock of such marine mammal for taking for subsistence uses.
Sec. 217.194 Mitigation requirements.
When conducting the activities identified in Sec. 217.190(a), the
mitigation measures contained in this subpart and any LOA issued under
Sec. 216.106 of this chapter and Sec. 217.196 must be implemented.
These mitigation measures shall include but are not limited to:
(a) General conditions. (1) A copy of any issued LOA must be in the
possession of the Coast Guard, supervisory construction personnel, lead
protected species observers (PSOs), and any other relevant designees of
the Coast Guard operating under the authority of this LOA at all times
that activities subject to this LOA are being conducted.
(2) The Coast Guard shall conduct training between construction
supervisors and crews and the marine mammal monitoring team and
relevant Coast Guard staff prior to the start of all down-the-hole
(DTH), pile driving, cutting or power washing activity and when new
personnel join the work, so that responsibilities, communication
procedures, monitoring protocols, and operational procedures are
clearly understood.
(3) The Coast Guard shall avoid direct physical interaction with
marine mammals during construction activity. If a marine mammal comes
within 20 m of an activity regulated under this subpart, operations
must cease and vessels must reduce speed to the minimum level required
to maintain steerage and safe working conditions.
(b) Shutdown zones. (1) For all DTH, pile driving, cutting or power
washing activity, the Coast Guard shall implement a minimum shutdown
zone of a 20-m radius around the pile or DTH hole. If a marine mammal
comes within or approaches the shutdown zone, such operations shall
cease.
(2) For all DTH and pile driving activity, the Coast Guard shall
implement shutdown zones with radial distances as identified in any LOA
issued under Sec. 216.106 of this chapter and Sec. 217.196. If a
marine mammal comes within or approaches the 20-m shutdown zone, such
operations shall cease.
(3) For all DTH and pile driving activity, the Coast Guard shall
designate monitoring zones with radial distances as identified in any
LOA issued under Sec. 216.106 of this chapter and Sec. 217.196.
Anticipated observable zones within the designated monitoring zones
shall be identified in the Marine Mammal Monitoring Plan, subject to
approval by NMFS.
(c) Shutdown protocols. (1) The Coast Guard shall deploy Protected
Species Observers (PSOs) as indicated in the Marine Mammal Monitoring
Plan, which shall be subject to approval by NMFS, and as described in
Sec. 217.195.
(2) For all DTH and pile driving activities, a minimum of one PSO
shall be stationed at the active pile driving rig or activity site or
in reasonable proximity in order to monitor the entire shutdown zone.
(3) Monitoring must take place from 30 minutes prior to initiation
of DTH and pile driving activity through 30 minutes post-completion of
DTH and pile driving activity. Pre-start clearance monitoring must be
conducted during periods of visibility sufficient for the lead PSO to
determine the shutdown zones clear of marine mammals. DTH and pile
driving activity may commence following 30 minutes of observation when
the determination is made.
(4) If DTH and pile driving activity is delayed or halted due to
the presence of a marine mammal, the activity may not commence or
resume until either the animal has voluntarily exited and been visually
confirmed beyond the shutdown zone or 15 minutes have passed without
re-detection of the animal.
(5) Monitoring shall be conducted by trained PSOs, who shall have
no other assigned tasks during monitoring periods. Trained PSOs shall
be placed at the best vantage point(s) practicable to monitor for
marine mammals and implement shutdown or delay procedures when
applicable through communication with the equipment operator. The Coast
Guard shall adhere to the following additional PSO qualifications:
(i) Independent observers (i.e., not construction personnel) are
required.
(ii) At least one observer must have prior experience working as an
observer.
(iii) Other observers may substitute education (degree in
biological science or related field) or training for experience.
(iv) Where a team of three or more PSOs are required, one observer
shall be designated as lead observer or monitoring coordinator. The
lead observer must have prior experience working as an observer.
(v) The Coast Guard shall submit PSO CVs for approval by NMFS.
(d) Soft start protocols. The Coast Guard must use soft start
techniques for impact pile driving. Soft start for impact drivers
requires contractors to provide an initial set of three strikes at
reduced energy, followed by a 30-second waiting period, then two
subsequent reduced energy three-strike sets. Soft start shall be
implemented at the start of each day's impact pile driving and at any
time following cessation of impact pile driving for a period of 30
minutes or longer.
Sec. 217.195 Requirements for monitoring and reporting.
(a) Marine mammal monitoring plan. The Coast Guard must submit a
Marine Mammal Monitoring Plan to NMFS for approval in advance of
construction. Marine mammal monitoring must be conducted in accordance
with the
[[Page 26465]]
conditions in this section and the Marine Mammal Monitoring Plan.
(b) PSO requirements. Monitoring must be conducted by qualified,
NMFS-approved PSOs, in accordance with the following: PSOs must be
independent (i.e., not construction personnel) and have no other
assigned tasks during monitoring periods. At least one PSO must have
prior experience performing the duties of a PSO during construction
activity pursuant to a NMFS-issued incidental take authorization. Other
PSOs may substitute other relevant experience, education (degree in
biological science or related field), or training. PSOs must be
approved by NMFS prior to beginning any activity subject to this
subpart.
(c) Marine mammal observation recording. PSOs must record all
observations of marine mammals as described in the Marine Mammal
Monitoring Plan, regardless of distance from the pile being driven.
PSOs shall document any behavioral reactions in concert with distance
from piles being driven or removed.
(d) PSO deployment. The Coast Guard shall deploy additional PSOs to
monitor harassment zones according to the minimum requirements defined
in Marine Mammal Monitoring Plan, subject to approval by NMFS. These
observers shall collect sighting data and behavioral responses to pile
driving for marine mammal species observed in the region of activity
during the period of activity, and shall communicate with the shutdown
zone observer(s) as appropriate with regard to the presence of marine
mammals. All observers shall be trained in identification and reporting
of marine mammal behaviors.
(e) Reporting. (1)(i) Coast Guard shall submit a draft monitoring
report to NMFS within 90 work days of the completion of required
monitoring for each portion of the project as well as a comprehensive
summary report at the end of the project. Coast Guard shall provide a
final report within 30 days following resolution of comments on the
draft report. If no work requiring monitoring is conducted within a
calendar year, Coast Guard shall provide a statement to that effect in
lieu of a draft report.
(ii) These reports shall contain, at minimum, the following:
(A) Dates and times (begin and end) of all marine mammal
monitoring;
(B) Construction activities occurring during each daily observation
period, including the number and type of piles driven or removed and by
what method (i.e., impact or vibratory) and the total equipment
duration for vibratory or DTH for each pile or total number of strikes
for each pile (impact driving, DTH);
(C) PSO locations during marine mammal monitoring;
(D) Environmental conditions during monitoring periods (at
beginning and end of PSO shift and whenever conditions change
significantly), including Beaufort sea state and any other relevant
weather conditions including cloud cover, fog, sun glare, and overall
visibility to the horizon, and estimated observable distance;
(E) Upon observation of a marine mammal, the following information:
Name of PSO who sighted the animal(s) and PSO location and activity at
time of sighting; time of sighting; identification of the animal(s)
(e.g., genus and species, lowest possible taxonomic level, or
unidentified), PSO confidence in identification, and the composition of
the group if there is a mix of species; distance and bearing of each
marine mammal observed relative to the pile being driven for each
sighting (if pile driving was occurring at time of sighting); estimated
number of animals (min, max, and best estimate); estimated number of
animals by cohort (adults, juveniles, neonates, group composition,
etc.); animal's closest point of approach and estimated time spent
within the harassment zone; and description of any marine mammal
behavioral observations (e.g., observed behaviors such as feeding or
traveling), including an assessment of behavioral responses thought to
have resulted from the activity (e.g., no response or changes in
behavioral state such as ceasing feeding, changing direction, flushing,
or breaching);
(F) Number of marine mammals detected within the harassment zones,
by species; and
(G) Detailed information about any implementation of any mitigation
triggered (e.g., shutdowns and delays), a description of specific
actions that ensued, and resulting changes in behavior of the
animal(s), if any.
(2) Coast Guard shall submit a comprehensive summary report to NMFS
not later than 90 days following the conclusion of marine mammal
monitoring efforts described in this subpart.
(3) All draft and final monitoring reports must be submitted to
[email protected] and [email protected].
(f) Reporting of injured or dead marine mammals. (1) In the event
that personnel involved in the construction activities discover an
injured or dead marine mammal, the LOA-holder must immediately cease
the specified activities and report the incident to the Office of
Protected Resources ([email protected] and
[email protected]), NMFS and to Alaska Regional Stranding
Coordinator as soon as feasible. If the death or injury was likely
caused by the specified activity, the Coast Guard must immediately
cease the specified activities until NMFS is able to review the
circumstances of the incident and determine what, if any, additional
measures are appropriate to ensure compliance with the terms of the
regulations under this subpart and LOAs. The LOA-holder must not resume
their activities until notified by NMFS. The report must include the
following information:
(i) Time, date, and location (latitude/longitude) of the first
discovery (and updated location information if known and applicable);
(ii) Species identification (if known) or description of the
animal(s) involved;
(iii) Condition of the animal(s) (including carcass condition if
the animal is dead);
(iv) Observed behaviors of the animal(s), if alive;
(v) If available, photographs or video footage of the animal(s);
and
(vi) General circumstances under which the animal was discovered.
(2) [Reserved]
Sec. 217.196 Letters of Authorization.
(a) To incidentally take marine mammals pursuant to the regulations
under this subpart, the Coast Guard must apply for and obtain an LOA.
(b) An LOA, unless suspended or revoked, may be effective for a
period of time not to exceed the expiration date of the regulations
under this subpart.
(c) If an LOA expires prior to the expiration date of the
regulations under this subpart, the Coast Guard may apply for and
obtain a renewal of the LOA.
(d) In the event of projected changes to the activity or to
mitigation and monitoring measures required by an LOA, the Coast Guard
must apply for and obtain a modification of the LOA as described in
Sec. 217.197.
(e) The LOA shall set forth:
(1) Permissible methods of incidental taking;
(2) Means of effecting the least practicable adverse impact (i.e.,
mitigation) on the species, its habitat, and on the availability of the
species for subsistence uses; and
(3) Requirements for monitoring and reporting.
(f) Issuance of the LOA shall be based on a determination that the
level of taking will be consistent with the findings made for the total
taking allowable under the regulations of this subpart.
[[Page 26466]]
(g) Notice of issuance or denial of an LOA shall be published in
the Federal Register within 30 days of a determination.
Sec. 217.197 Renewals and modifications of Letters of Authorization.
(a) An LOA issued under Sec. 216.106 of this chapter and Sec.
217.196 for the activity identified in Sec. 217.190(a) shall be
renewed or modified upon request by the applicant, provided that:
(1) The proposed specified activity and mitigation, monitoring, and
reporting measures, as well as the anticipated impacts, are the same as
those described and analyzed for the regulations under this subpart
(excluding changes made pursuant to the adaptive management provision
in paragraph (c)(1) of this section); and
(2) NMFS determines that the mitigation, monitoring, and reporting
measures required by the previous LOA under the regulations of this
subpart were implemented.
(b) For LOA modification or renewal requests by the applicant that
include changes to the activity or the mitigation, monitoring, or
reporting (excluding changes made pursuant to the adaptive management
provision in paragraph (c)(1) of this section) that do not change the
findings made for the regulations in this subpart or result in no more
than a minor change in the total estimated number of takes (or
distribution by species or years), NMFS may publish a notice of
proposed LOA in the Federal Register, including the associated analysis
of the change, and solicit public comment before issuing the LOA.
(c) An LOA issued under Sec. 216.106 of this chapter and Sec.
217.196 for the activity identified in Sec. 217.190(a) may be modified
by NMFS under the following circumstances:
(1) Adaptive management. NMFS may modify (including augment) the
existing mitigation, monitoring, or reporting measures (after
consulting with the Coast Guard regarding the practicability of the
modifications) if doing so creates a reasonable likelihood of more
effectively accomplishing the goals of the mitigation and monitoring.
(i) Possible sources of data that could contribute to the decision
to modify the mitigation, monitoring, or reporting measures in an LOA:
(A) Results from the Coast Guard's monitoring from the previous
year(s).
(B) Results from other marine mammal and/or sound research or
studies.
(C) Any information that reveals marine mammals may have been taken
in a manner, extent, or number not authorized by the regulations under
this subpart or subsequent LOAs.
(ii) If, through adaptive management, the modifications to the
mitigation, monitoring, or reporting measures are substantial, NMFS
will publish a notice of proposed LOA in the Federal Register and
solicit public comment.
(2) Emergencies. If NMFS determines that an emergency exists that
poses a significant risk to the well-being of the species or stocks of
marine mammals specified in LOAs issued pursuant to Sec. 216.106 of
this chapter and Sec. 217.196, an LOA may be modified without prior
notice or opportunity for public comment. Notice would be published in
the Federal Register within 30 days of the action.
Sec. Sec. 217.198-217.199 [Reserved]
[FR Doc. 2023-08719 Filed 4-27-23; 8:45 am]
BILLING CODE 3510-22-P