Fisheries of the Northeastern United States; Framework Adjustments to Northeast Multispecies, Atlantic Sea Scallop, Monkfish, Northeast Skate Complex, and Atlantic Herring Fisheries; Southern New England Habitat Area of Particular Concern Designation, 7633-7635 [2024-02239]
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Federal Register / Vol. 89, No. 24 / Monday, February 5, 2024 / Rules and Regulations
DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric
Administration
50 CFR Part 648
[Docket No. 240130–0029]
RIN 0648–BM51
Fisheries of the Northeastern United
States; Framework Adjustments to
Northeast Multispecies, Atlantic Sea
Scallop, Monkfish, Northeast Skate
Complex, and Atlantic Herring
Fisheries; Southern New England
Habitat Area of Particular Concern
Designation
National Marine Fisheries
Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA),
Commerce.
ACTION: Final rule.
AGENCY:
This action implements the
New England Fishery Management
Council’s Framework Adjustment that
identifies a Habitat Area of Particular
Concern offshore of Southern New
England. This rule adjusts the following
fishery management plans: Northeast
Multispecies; Atlantic Sea Scallop;
Monkfish; Northeast Skate Complex;
and Atlantic Herring. The Habitat Area
of Particular Concern is within and
around wind lease areas in Southern
New England, including Cox Ledge, to
focus conservation recommendations on
cod spawning habitats and complex
benthic habitats that are known to serve
important habitat functions to Councilmanaged fishery species.
DATES: Effective March 6, 2024.
ADDRESSES: Copies of the Southern New
England Habitat Area of Particular
Concern Framework and other
supporting documents for this action are
available upon request from Dr. Cate
O’Keefe, Executive Director, New
England Fishery Management Council,
50 Water Street, Mill 2, Newburyport,
MA 01950. The supporting documents
are also accessible via the internet at:
https://d23h0vhsm26o6d.
cloudfront.net/230926-SNE-HAPCFramework-FINAL.pdf.
FOR FURTHER INFORMATION CONTACT:
Sabrina Pereira, Marine Habitat
Resource Specialist, email:
Sabrina.Pereira@noaa.gov; phone: (978)
675–2178.
SUPPLEMENTARY INFORMATION:
lotter on DSK11XQN23PROD with RULES1
SUMMARY:
Background
This action identifies a Habitat Area
of Particular Concern (HAPC) in and
around offshore wind lease areas in
Southern New England, including Cox
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Ledge. The New England Fishery
Management Council recommended the
HAPC designation due to concerns
about the potential adverse impact on
essential fish habitat (EFH) from the
development of offshore wind energy
projects. The designation focuses on
important cod spawning grounds and
areas of complex habitat that are known
to serve important habitat functions to
federally managed species within and
adjacent to offshore wind development
areas. Complex benthic habitat provides
shelter for certain species during their
early life history, refuge from predators,
and feeding opportunities. The HAPC
designation will be applied during EFH
consultation when data indicate that
cod spawning and/or complex habitats
occur within or near the footprint of a
project located within the border of the
HAPC area identified in Figure 6 of the
Framework document.
HAPCs highlight specific types or
areas of habitat within EFH that may be
particularly vulnerable to human
impacts. HAPC designations should be
based on one or more of the following
criteria: (1) The importance of the
ecological function provided by the
habitat, including both the historical
and current ecological function; (2) the
extent to which the habitat is sensitive
to human-induced environmental
degradation; (3) whether, and to what
extent, development activities are, or
will be, stressing the habitat type; and
(4) the rarity of the habitat type (50 CFR
600.815(a)(8)). As detailed below, the
HAPC designated by this action has all
four of these attributes.
An area’s status as an HAPC is
intended to lead to special attention
regarding potential adverse effects on
habitats within areas of particular
concern from various activities (e.g.,
fishing, offshore wind energy). An
HAPC designation does not provide any
specific habitat management measures,
such as restrictions on gear types,
harvest levels, fishing locations,
offshore wind survey and construction
activities, or other activities with
adverse effects on habitat in the area.
The proposed rule for this action was
published in the Federal Register on
September 26, 2023 (88 FR 65944), and
comments were accepted through
October 26, 2023. NMFS received 14
comments from the public, and no
changes were made to the final rule
because of those comments (see
Comments and Responses for additional
detail).
Habitat Area of Particular Concern
Designation
This action implements Alternative 5,
the Council’s preferred alternative for
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7633
the Southern New England HAPC
designation, which identifies as an
HAPC certain habitats in the area
overlapping offshore wind lease sites in
southern New England. The spatial
extent of the HAPC is based on the
footprint of the lease areas, buffered by
approximately 10 km on all sides,
combined with the footprint of the Cox
Ledge spawning ground, which is based
on recent evidence of cod spawning
activity. Figure 6 on page 29 of the
Framework document (online at https://
d23h0vhsm26o6d.cloudfront.net/
230926-SNE-HAPC-FrameworkFINAL.pdf) contains a map of the HAPC
designation area. As noted in the
Framework document (at 27), when
projects are proposed within this area,
‘‘The HAPC designation will be applied
during EFH consultation when data
indicate that cod spawning and/or
complex habitats occur within or near
the project footprint.’’
The HAPC area is located within
designated EFH for the following
species that occupy complex habitats
within the footprint: Atlantic cod egg,
larvae, juveniles, and adults; Atlantic
herring eggs; Atlantic sea scallop eggs,
juveniles, and adults; little skate
juveniles and adults; monkfish juveniles
and adults; ocean pout eggs, juveniles,
and adults; red hake juveniles and
adults; winter flounder eggs, juveniles,
and adults; and winter skate juveniles
and adults.
Complex habitats are defined as hard
bottom substrates, defined by the
Coastal and Marine Ecological
Classification Standard (CMECS) as
Substrate Class Rock Substrate, and by
the four Substrate Groups: Gravels;
gravel mixes; gravelly; and shell. This
CMECS modifier was developed by
NMFS for habitat mapping
recommendations, including both largegrained and small-grained hard habitats.
Hard bottom substrates with epifauna or
macroalgae cover are also defined as
complex habitat.
Evidence of cod spawning activity at
a site could be based on: Capture of ripe,
running, or spent cod during fishery
independent surveys; detections of
acoustically tagged fish between
November and April; detections of cod
grunts in acoustic surveys; capture of
cod larvae in ichthyoplankton surveys;
and/or evidence of eggs in
ichthyoplankton surveys (not species
specific but indicative of spawning
success).
Designation of this HAPC places a
focus on areas that are experiencing
current development stresses. The
designated area overlaps areas leased for
renewable energy development. Some
projects are already permitted, others
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Federal Register / Vol. 89, No. 24 / Monday, February 5, 2024 / Rules and Regulations
are currently undergoing environmental
review, and others are still within the
site assessment phase. The HAPC’s
spatial footprint closely aligns with the
wind lease areas because these areas
face differential levels of foreseeable ongoing development-related threats
compared to surrounding areas. The
HAPC boundary includes a buffer of
approximately 10 km beyond the leased
areas, recognizing that some types of
development activities can generate
impacts at scales of tens of kilometers
beyond the site of construction and
operations. For example, acoustic
impacts may extend kilometers from a
pile driving site. Greater scrutiny would
be given to activities within the HAPC
designated area when data indicate that
cod spawning and/or complex habitats
occur within or near a project or activity
footprint. An HAPC focused on these
conservation objectives is consistent
with the Council’s Offshore Wind
Energy Policy, as well as prior offshore
wind project specific comments
provided by the Council in recent years.
The cod spawning habitats within the
HAPC meet all four of the HAPC criteria
identified above, and the complex
bottom habitats meet all criteria except
for ‘‘rarity.’’ The HAPC area is important
for current ecological function because
it includes spawning sites, juvenile
settlement areas, and feeding areas for
species with EFH in the area, including
various cod stocks. Georges Bank
Atlantic cod, which is in poor stock
condition (i.e., overfished and
experiencing overfishing), spawns in the
area, and Southern New England cod
represents a genetically distinct
subpopulation. The subpopulation also
contributes to the Georges Bank cod
stock; thus, any impacts to Southern
New England cod could also
detrimentally impact the Georges Bank
stock. With regard to sensitivity to
anthropogenic stresses, cod spawning
activities are particularly sensitive to
adverse impacts from fishing and nonfishing activities, namely from offshore
wind development (construction,
operations, and maintenance), and
complex habitats are susceptible to
conversion and sedimentation. The
HAPC meets the ‘‘extent of current or
future development stresses’’ criterion
because this area is facing an existing
on-going development-related threat
from offshore wind. Finally, regarding
‘‘rarity,’’ cod spawning habitats (based
on acoustic environment, seafloor and
water column setting) are rare with only
one known grouping of active sites in
Southern New England. On the other
hand, complex habitat features alone are
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16:18 Feb 02, 2024
Jkt 262001
not considered rare (i.e., spatially or
temporally very limited).
The HAPC identified herein is a nonregulatory designation. HAPC
designations are intended to provide for
increased attention when habitat
protection measures are considered.
HAPCs that are vulnerable to the
potential impacts from anthropogenic
activities warrant special attention
when determining appropriate
management measures to minimize,
compensate, or mitigate those impacts.
Comments and Responses
The public comment period for the
proposed rule ended on October 26,
2023, and NMFS received 14 comments
from the public. No changes were made
to the final rule as a result of these
comments. Eight comments expressed
concern over offshore wind
development and its impacts on marine
life, but they did not address this
specific action; therefore, no response is
warranted at this time.
Comment 1: Two comments
expressed general support for the HAPC
designation.
Response: NMFS agrees and is
implementing this rule in a timely
manner.
Comment 2: Three comments were in
support of the HAPC designation and
also urged additional habitat protections
and considerations for Cox Ledge,
sensitive habitats, and protected
species.
Response: This action does not add
any restrictions on offshore
development or fisheries management
restrictions related to the HAPC. The
Council’s problem statement and
objectives described in section 3.3 of the
framework document (see ADDRESSES)
focused on the potential for enhancing
the EFH consultation process and
conservation recommendations;
developing new restrictions on fishing
were outside the scope for the
framework. Neither NMFS nor the
Council has the ability to directly
restrict offshore development, including
offshore wind.
Comment 3: A comment from the
American Clean Power Association
expressed opposition to the HAPC and
support for Alternative 2 identified in
the Council’s framework document
because it includes only those areas for
which scientific research has
demonstrated the presence of cod
spawning. The comment also urged the
Council to rely on ‘‘the best available
sources’’ when identifying EFH ‘‘. . .
and not the presence of an offshore
wind lease,’’ noted that the ‘‘lack of data
on cod spawning in southern New
England waters does not equate to
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Fmt 4700
Sfmt 4700
actual scientific evidence of rarity,’’ and
contended that ‘‘wind development has
not been directly linked to impacts on
cod spawning habitat.’’
Response: The Council’s preferred
alternative, Alternative 5, was chosen in
part because it identifies a broader area
of Southern New England within which
the HAPC designation would be applied
if additional cod spawning activity is
documented by future data/studies and/
or complex habitat is identified.
Alternative 5 provides NMFS with the
opportunity at the time of a project
review to use available data that are
related to the suitability for cod
spawning, or the presence or absence of
cod spawning activity, and/or complex
habitat in order to determine whether to
consult on a project area as an HAPC,
without the need for a new designation
from the Council. Alternative 2,
supported by the commenter, focuses on
Atlantic cod habitat, but this
designation addresses multiple species
and threats to those species. In addition,
the preferred alternative designates
areas of complex habitat within a broad
Southern New England footprint as
HAPC for certain life stages of Atlantic
cod, Atlantic herring, Atlantic sea
scallop, little skate, monkfish, ocean
pout, red hake, winter flounder, and
winter skate that use these habitats.
Habitat for these additional species
should also benefit from conservation
recommendations based on this HAPC.
The Council and NMFS have utilized
the best available data sources to map
EFH for multiple federally managed fish
species. The presence of offshore wind
lease areas is not determinative of what
areas are mapped EFH. Federal agencies
are required to consult with the
Secretary with respect to any action or
proposed action authorized, funded, or
undertaken that may adversely affect
any identified EFH. In establishing
HAPC designations, which are a subset
of EFH, the Council and NMFS can
consider whether, and to what extent,
development activities are, or will be,
stressing the habitat type. Offshore wind
development is a specific stressor
within the Southern New England lease
areas, and therefore the spatial extent of
the HAPC is based on the combined
footprint of spawning grounds, complex
habitats, and lease areas.
With respect to rarity, as noted above,
NMFS concluded that active cod
spawning habitats are rare based on
information regarding critical ecosystem
features such as the acoustic
environment, seafloor and water column
setting, which is the best scientific
information available. Only one known
group of active spawning sites exists in
Southern New England. They are not
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Federal Register / Vol. 89, No. 24 / Monday, February 5, 2024 / Rules and Regulations
lotter on DSK11XQN23PROD with RULES1
considered rare due to lack of data. EFH
for cod spawning that may lead to an
active cod spawning habitat is identified
in the HAPC, and any updated data may
be considered at the time of any action
or proposed action to determine
whether consultation is necessary. This
is consistent with National Standard 2,
one of the statutory principles that must
be followed in any FMP as per the
Magnuson-Stevens Fishery
Conservation and Management Act,
which recognizes the dynamic nature of
the scientific process, the need to
evaluate new data and uncertainties in
available information, and to identify
gaps in available information. Overall,
cod is a very well-studied species with
a long fishing history, decades of fishery
independent surveys, extensive tagging
work, and, most recently, acoustic
surveys that have been used to
document spawning grounds in space
and time.
Finally, broad categories of activities
that may adversely affect EFH include,
but are not limited to: Dredging; filling;
excavation; mining; impoundment;
discharge; water diversions; thermal
additions; actions that contribute to
non-point source pollution and
sedimentation; introduction of
potentially hazardous materials;
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16:18 Feb 02, 2024
Jkt 262001
introduction of exotic species; and the
conversion of aquatic habitat that may
eliminate, diminish, or disrupt the
functions of EFH.
Changes From the Proposed Rule
There are no substantive changes from
the proposed rule.
Classification
Pursuant to section 305(d) of the
Magnuson-Stevens Fishery
Conservation and Management Act, this
action is necessary to implement
adjustments to fishery management
plans as identified below. In a previous
action taken pursuant to section 304(b),
the Council designed the fishery
management plans (FMP) to specify the
process for NMFS to take this action
pursuant to Magnuson-Stevens Act
section 305(d), and this action puts in
place administrative designations that
are not implementing any associated
management measures. The NMFS
Assistant Administrator has determined
that this rule is consistent with the
Northeast Multispecies FMP; Atlantic
Sea Scallop FMP; Monkfish FMP;
Northeast Skate Complex FMP; and
Atlantic Herring FMP, other provisions
of the Magnuson-Stevens Act, and other
applicable laws.
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7635
This final rule has been determined to
be not significant for purposes of
Executive Order 12866, as amended by
Executive Order 14094.
The Chief Counsel for Regulation of
the Department of Commerce certified
to the Chief Counsel for Advocacy of the
Small Business Administration during
the proposed rule stage that this action
would not have a significant economic
impact on a substantial number of small
entities. The basis for the certification
was published in the proposed rule and
is not repeated here. No comments were
received regarding this certification, and
the initial certification remains
unchanged.
This final rule does not duplicate,
conflict, or overlap with any existing
Federal rules.
This final rule contains no new
information collection requirements
under the Paperwork Reduction Act of
1995.
Authority: 16 U.S.C. 1801 et seq.
Dated: January 30, 2024.
Samuel D. Rauch III,
Deputy Assistant Administrator for
Regulatory Programs, National Marine
Fisheries Service.
[FR Doc. 2024–02239 Filed 2–2–24; 8:45 am]
BILLING CODE 3510–22–P
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Agencies
[Federal Register Volume 89, Number 24 (Monday, February 5, 2024)]
[Rules and Regulations]
[Pages 7633-7635]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2024-02239]
[[Page 7633]]
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
50 CFR Part 648
[Docket No. 240130-0029]
RIN 0648-BM51
Fisheries of the Northeastern United States; Framework
Adjustments to Northeast Multispecies, Atlantic Sea Scallop, Monkfish,
Northeast Skate Complex, and Atlantic Herring Fisheries; Southern New
England Habitat Area of Particular Concern Designation
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: This action implements the New England Fishery Management
Council's Framework Adjustment that identifies a Habitat Area of
Particular Concern offshore of Southern New England. This rule adjusts
the following fishery management plans: Northeast Multispecies;
Atlantic Sea Scallop; Monkfish; Northeast Skate Complex; and Atlantic
Herring. The Habitat Area of Particular Concern is within and around
wind lease areas in Southern New England, including Cox Ledge, to focus
conservation recommendations on cod spawning habitats and complex
benthic habitats that are known to serve important habitat functions to
Council-managed fishery species.
DATES: Effective March 6, 2024.
ADDRESSES: Copies of the Southern New England Habitat Area of
Particular Concern Framework and other supporting documents for this
action are available upon request from Dr. Cate O'Keefe, Executive
Director, New England Fishery Management Council, 50 Water Street, Mill
2, Newburyport, MA 01950. The supporting documents are also accessible
via the internet at: https://d23h0vhsm26o6d.cloudfront.net/230926-SNE-HAPC-Framework-FINAL.pdf.
FOR FURTHER INFORMATION CONTACT: Sabrina Pereira, Marine Habitat
Resource Specialist, email: [email protected]; phone: (978) 675-
2178.
SUPPLEMENTARY INFORMATION:
Background
This action identifies a Habitat Area of Particular Concern (HAPC)
in and around offshore wind lease areas in Southern New England,
including Cox Ledge. The New England Fishery Management Council
recommended the HAPC designation due to concerns about the potential
adverse impact on essential fish habitat (EFH) from the development of
offshore wind energy projects. The designation focuses on important cod
spawning grounds and areas of complex habitat that are known to serve
important habitat functions to federally managed species within and
adjacent to offshore wind development areas. Complex benthic habitat
provides shelter for certain species during their early life history,
refuge from predators, and feeding opportunities. The HAPC designation
will be applied during EFH consultation when data indicate that cod
spawning and/or complex habitats occur within or near the footprint of
a project located within the border of the HAPC area identified in
Figure 6 of the Framework document.
HAPCs highlight specific types or areas of habitat within EFH that
may be particularly vulnerable to human impacts. HAPC designations
should be based on one or more of the following criteria: (1) The
importance of the ecological function provided by the habitat,
including both the historical and current ecological function; (2) the
extent to which the habitat is sensitive to human-induced environmental
degradation; (3) whether, and to what extent, development activities
are, or will be, stressing the habitat type; and (4) the rarity of the
habitat type (50 CFR 600.815(a)(8)). As detailed below, the HAPC
designated by this action has all four of these attributes.
An area's status as an HAPC is intended to lead to special
attention regarding potential adverse effects on habitats within areas
of particular concern from various activities (e.g., fishing, offshore
wind energy). An HAPC designation does not provide any specific habitat
management measures, such as restrictions on gear types, harvest
levels, fishing locations, offshore wind survey and construction
activities, or other activities with adverse effects on habitat in the
area.
The proposed rule for this action was published in the Federal
Register on September 26, 2023 (88 FR 65944), and comments were
accepted through October 26, 2023. NMFS received 14 comments from the
public, and no changes were made to the final rule because of those
comments (see Comments and Responses for additional detail).
Habitat Area of Particular Concern Designation
This action implements Alternative 5, the Council's preferred
alternative for the Southern New England HAPC designation, which
identifies as an HAPC certain habitats in the area overlapping offshore
wind lease sites in southern New England. The spatial extent of the
HAPC is based on the footprint of the lease areas, buffered by
approximately 10 km on all sides, combined with the footprint of the
Cox Ledge spawning ground, which is based on recent evidence of cod
spawning activity. Figure 6 on page 29 of the Framework document
(online at https://d23h0vhsm26o6d.cloudfront.net/230926-SNE-HAPC-Framework-FINAL.pdf) contains a map of the HAPC designation area. As
noted in the Framework document (at 27), when projects are proposed
within this area, ``The HAPC designation will be applied during EFH
consultation when data indicate that cod spawning and/or complex
habitats occur within or near the project footprint.''
The HAPC area is located within designated EFH for the following
species that occupy complex habitats within the footprint: Atlantic cod
egg, larvae, juveniles, and adults; Atlantic herring eggs; Atlantic sea
scallop eggs, juveniles, and adults; little skate juveniles and adults;
monkfish juveniles and adults; ocean pout eggs, juveniles, and adults;
red hake juveniles and adults; winter flounder eggs, juveniles, and
adults; and winter skate juveniles and adults.
Complex habitats are defined as hard bottom substrates, defined by
the Coastal and Marine Ecological Classification Standard (CMECS) as
Substrate Class Rock Substrate, and by the four Substrate Groups:
Gravels; gravel mixes; gravelly; and shell. This CMECS modifier was
developed by NMFS for habitat mapping recommendations, including both
large-grained and small-grained hard habitats. Hard bottom substrates
with epifauna or macroalgae cover are also defined as complex habitat.
Evidence of cod spawning activity at a site could be based on:
Capture of ripe, running, or spent cod during fishery independent
surveys; detections of acoustically tagged fish between November and
April; detections of cod grunts in acoustic surveys; capture of cod
larvae in ichthyoplankton surveys; and/or evidence of eggs in
ichthyoplankton surveys (not species specific but indicative of
spawning success).
Designation of this HAPC places a focus on areas that are
experiencing current development stresses. The designated area overlaps
areas leased for renewable energy development. Some projects are
already permitted, others
[[Page 7634]]
are currently undergoing environmental review, and others are still
within the site assessment phase. The HAPC's spatial footprint closely
aligns with the wind lease areas because these areas face differential
levels of foreseeable on-going development-related threats compared to
surrounding areas. The HAPC boundary includes a buffer of approximately
10 km beyond the leased areas, recognizing that some types of
development activities can generate impacts at scales of tens of
kilometers beyond the site of construction and operations. For example,
acoustic impacts may extend kilometers from a pile driving site.
Greater scrutiny would be given to activities within the HAPC
designated area when data indicate that cod spawning and/or complex
habitats occur within or near a project or activity footprint. An HAPC
focused on these conservation objectives is consistent with the
Council's Offshore Wind Energy Policy, as well as prior offshore wind
project specific comments provided by the Council in recent years.
The cod spawning habitats within the HAPC meet all four of the HAPC
criteria identified above, and the complex bottom habitats meet all
criteria except for ``rarity.'' The HAPC area is important for current
ecological function because it includes spawning sites, juvenile
settlement areas, and feeding areas for species with EFH in the area,
including various cod stocks. Georges Bank Atlantic cod, which is in
poor stock condition (i.e., overfished and experiencing overfishing),
spawns in the area, and Southern New England cod represents a
genetically distinct subpopulation. The subpopulation also contributes
to the Georges Bank cod stock; thus, any impacts to Southern New
England cod could also detrimentally impact the Georges Bank stock.
With regard to sensitivity to anthropogenic stresses, cod spawning
activities are particularly sensitive to adverse impacts from fishing
and non-fishing activities, namely from offshore wind development
(construction, operations, and maintenance), and complex habitats are
susceptible to conversion and sedimentation. The HAPC meets the
``extent of current or future development stresses'' criterion because
this area is facing an existing on-going development-related threat
from offshore wind. Finally, regarding ``rarity,'' cod spawning
habitats (based on acoustic environment, seafloor and water column
setting) are rare with only one known grouping of active sites in
Southern New England. On the other hand, complex habitat features alone
are not considered rare (i.e., spatially or temporally very limited).
The HAPC identified herein is a non-regulatory designation. HAPC
designations are intended to provide for increased attention when
habitat protection measures are considered. HAPCs that are vulnerable
to the potential impacts from anthropogenic activities warrant special
attention when determining appropriate management measures to minimize,
compensate, or mitigate those impacts.
Comments and Responses
The public comment period for the proposed rule ended on October
26, 2023, and NMFS received 14 comments from the public. No changes
were made to the final rule as a result of these comments. Eight
comments expressed concern over offshore wind development and its
impacts on marine life, but they did not address this specific action;
therefore, no response is warranted at this time.
Comment 1: Two comments expressed general support for the HAPC
designation.
Response: NMFS agrees and is implementing this rule in a timely
manner.
Comment 2: Three comments were in support of the HAPC designation
and also urged additional habitat protections and considerations for
Cox Ledge, sensitive habitats, and protected species.
Response: This action does not add any restrictions on offshore
development or fisheries management restrictions related to the HAPC.
The Council's problem statement and objectives described in section 3.3
of the framework document (see ADDRESSES) focused on the potential for
enhancing the EFH consultation process and conservation
recommendations; developing new restrictions on fishing were outside
the scope for the framework. Neither NMFS nor the Council has the
ability to directly restrict offshore development, including offshore
wind.
Comment 3: A comment from the American Clean Power Association
expressed opposition to the HAPC and support for Alternative 2
identified in the Council's framework document because it includes only
those areas for which scientific research has demonstrated the presence
of cod spawning. The comment also urged the Council to rely on ``the
best available sources'' when identifying EFH ``. . . and not the
presence of an offshore wind lease,'' noted that the ``lack of data on
cod spawning in southern New England waters does not equate to actual
scientific evidence of rarity,'' and contended that ``wind development
has not been directly linked to impacts on cod spawning habitat.''
Response: The Council's preferred alternative, Alternative 5, was
chosen in part because it identifies a broader area of Southern New
England within which the HAPC designation would be applied if
additional cod spawning activity is documented by future data/studies
and/or complex habitat is identified. Alternative 5 provides NMFS with
the opportunity at the time of a project review to use available data
that are related to the suitability for cod spawning, or the presence
or absence of cod spawning activity, and/or complex habitat in order to
determine whether to consult on a project area as an HAPC, without the
need for a new designation from the Council. Alternative 2, supported
by the commenter, focuses on Atlantic cod habitat, but this designation
addresses multiple species and threats to those species. In addition,
the preferred alternative designates areas of complex habitat within a
broad Southern New England footprint as HAPC for certain life stages of
Atlantic cod, Atlantic herring, Atlantic sea scallop, little skate,
monkfish, ocean pout, red hake, winter flounder, and winter skate that
use these habitats. Habitat for these additional species should also
benefit from conservation recommendations based on this HAPC.
The Council and NMFS have utilized the best available data sources
to map EFH for multiple federally managed fish species. The presence of
offshore wind lease areas is not determinative of what areas are mapped
EFH. Federal agencies are required to consult with the Secretary with
respect to any action or proposed action authorized, funded, or
undertaken that may adversely affect any identified EFH. In
establishing HAPC designations, which are a subset of EFH, the Council
and NMFS can consider whether, and to what extent, development
activities are, or will be, stressing the habitat type. Offshore wind
development is a specific stressor within the Southern New England
lease areas, and therefore the spatial extent of the HAPC is based on
the combined footprint of spawning grounds, complex habitats, and lease
areas.
With respect to rarity, as noted above, NMFS concluded that active
cod spawning habitats are rare based on information regarding critical
ecosystem features such as the acoustic environment, seafloor and water
column setting, which is the best scientific information available.
Only one known group of active spawning sites exists in Southern New
England. They are not
[[Page 7635]]
considered rare due to lack of data. EFH for cod spawning that may lead
to an active cod spawning habitat is identified in the HAPC, and any
updated data may be considered at the time of any action or proposed
action to determine whether consultation is necessary. This is
consistent with National Standard 2, one of the statutory principles
that must be followed in any FMP as per the Magnuson-Stevens Fishery
Conservation and Management Act, which recognizes the dynamic nature of
the scientific process, the need to evaluate new data and uncertainties
in available information, and to identify gaps in available
information. Overall, cod is a very well-studied species with a long
fishing history, decades of fishery independent surveys, extensive
tagging work, and, most recently, acoustic surveys that have been used
to document spawning grounds in space and time.
Finally, broad categories of activities that may adversely affect
EFH include, but are not limited to: Dredging; filling; excavation;
mining; impoundment; discharge; water diversions; thermal additions;
actions that contribute to non-point source pollution and
sedimentation; introduction of potentially hazardous materials;
introduction of exotic species; and the conversion of aquatic habitat
that may eliminate, diminish, or disrupt the functions of EFH.
Changes From the Proposed Rule
There are no substantive changes from the proposed rule.
Classification
Pursuant to section 305(d) of the Magnuson-Stevens Fishery
Conservation and Management Act, this action is necessary to implement
adjustments to fishery management plans as identified below. In a
previous action taken pursuant to section 304(b), the Council designed
the fishery management plans (FMP) to specify the process for NMFS to
take this action pursuant to Magnuson-Stevens Act section 305(d), and
this action puts in place administrative designations that are not
implementing any associated management measures. The NMFS Assistant
Administrator has determined that this rule is consistent with the
Northeast Multispecies FMP; Atlantic Sea Scallop FMP; Monkfish FMP;
Northeast Skate Complex FMP; and Atlantic Herring FMP, other provisions
of the Magnuson-Stevens Act, and other applicable laws.
This final rule has been determined to be not significant for
purposes of Executive Order 12866, as amended by Executive Order 14094.
The Chief Counsel for Regulation of the Department of Commerce
certified to the Chief Counsel for Advocacy of the Small Business
Administration during the proposed rule stage that this action would
not have a significant economic impact on a substantial number of small
entities. The basis for the certification was published in the proposed
rule and is not repeated here. No comments were received regarding this
certification, and the initial certification remains unchanged.
This final rule does not duplicate, conflict, or overlap with any
existing Federal rules.
This final rule contains no new information collection requirements
under the Paperwork Reduction Act of 1995.
Authority: 16 U.S.C. 1801 et seq.
Dated: January 30, 2024.
Samuel D. Rauch III,
Deputy Assistant Administrator for Regulatory Programs, National Marine
Fisheries Service.
[FR Doc. 2024-02239 Filed 2-2-24; 8:45 am]
BILLING CODE 3510-22-P