80_FR_12394 80 FR 12349 - Magnuson-Stevens Act Provisions; General Provisions for Domestic Fisheries; Application for Fishing Year 2014 Sector Exemption

80 FR 12349 - Magnuson-Stevens Act Provisions; General Provisions for Domestic Fisheries; Application for Fishing Year 2014 Sector Exemption

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 80, Issue 45 (March 9, 2015)

Page Range12349-12351
FR Document2015-05366

The Regional Administrator, Greater Atlantic Region, NMFS, has approved a request for exemptions from two recently implemented Gulf of Maine cod interim management measures.

Federal Register, Volume 80 Issue 45 (Monday, March 9, 2015)
[Federal Register Volume 80, Number 45 (Monday, March 9, 2015)]
[Rules and Regulations]
[Pages 12349-12351]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-05366]


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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

50 CFR Part 648

RIN 0648-XD775


Magnuson-Stevens Act Provisions; General Provisions for Domestic 
Fisheries; Application for Fishing Year 2014 Sector Exemption

AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and 
Atmospheric Administration (NOAA), Commerce.

ACTION: Final grant of regulatory exemptions.

-----------------------------------------------------------------------

SUMMARY: The Regional Administrator, Greater Atlantic Region, NMFS, has 
approved a request for exemptions from two recently implemented Gulf of 
Maine cod interim management measures.

DATES: The effective dates of these regulatory exemptions are from 
March 4, 2015 through April 30, 2015. The regulatory exemptions were 
applicable on March 3, 2015.

FOR FURTHER INFORMATION CONTACT: William Whitmore, Fisheries Policy 
Analyst, 978-281-9182.

SUPPLEMENTARY INFORMATION: 
    On March 3, 2015, we granted several groundfish sectors their 
request for exemptions from two management measures implemented in a 
temporary rule intended to enhance protections for Gulf of Maine (GOM) 
cod (79 FR 67362; November 13, 2014). The GOM cod interim rule 
implemented several management restrictions including: (1) A GOM cod 
trip limit of 200 lb (90.7 kg) for groundfish sector vessels and; (2) a 
restriction limiting commercial limited access groundfish vessels to 
fishing only in the GOM broad stock area (BSA) for the duration of the 
declared trip. The interim rule also established a series of time and 
area closures to protect GOM cod but we are not relieving or granting 
any exemptions from those closures.
    On February 9, 2015, we received an exemption request from several 
sectors. These sectors worked together to assemble 30 mt of GOM cod 
annual catch entitlement (ACE), which was traded to Northeast Fishery 
Sector IV, a lease-only sector with no active fishing effort. That 
sector proposed to withhold and render unusable that 30 mt of GOM cod 
ACE, including preventing its use for potential carryover to the next 
fishing year, if sectors are granted regulatory exemptions from the GOM 
cod trip limit and GOM BSA restriction.
    As explained in our February 23, 2015, notice (80 FR 9438), the 
sectors proposed to implement a management measure we did not include 
in our November 13, 2014, GOM cod interim rule: A reduction to the ACE 
available to those sectors that have opted to fish under these 
regulatory exemptions for the remainder of the fishing year. Because 
the fishing industry will continue to fish through the end of the 
fishing year, and will continue to encounter GOM cod, the sector 
exemptions would establish a firm 30-mt reduction in the limit on total 
cod catch that is expected to be greater than the mortality reduction 
that would otherwise be achieved through the interim trip-limit 
measure. In addition to an actual reduction in the total potential cod 
catch, these sector exemptions should reduce regulatory discards, 
reduce management uncertainty affiliated with catch and mortality, and 
improve catch yield, while providing greater operational flexibility. 
For these reasons, we have determined that these exemptions are 
consistent with the goals and objectives of the interim measures and 
the fishery management plan.
    Also in our February 23, 2015, notice, we proposed a daily catch 
reporting requirement in place of the BSA exemption. This requirement 
was intended to address our concerns about the accurate apportionment 
of catch between the BSAs and the incentive to misreport catch on 
unobserved trips to avoid potentially constraining catch limits. We 
noted these same concerns in our 2014 interim action for GOM cod. 
Additionally, this issue was discussed during the development of 
Framework Adjustment 53 to the Northeast Multispecies Fishery 
Management Plan, and is noted in various analyses prepared by the 
Council in support of Framework 53. We are continuing to consider the 
possibility of additional reporting requirements (e.g., daily Vessel 
Monitoring System catch reports) for commercial groundfish vessels that 
could improve attribution of catch and help reduce the incentive to 
misreport. We are not specifically requiring these additional 
requirements in this action, however, to provide time for further 
deliberation. We intend to further consult with the Council on this 
issue to explore whether additional reporting requirements implemented 
through a future rule-making could help address the noted concerns.
    We received a total of 24 comments in response to our February 23 
notice soliciting public comment on the sector exemption request: 16 
comments in support of the exemption requests; 3 partially supporting 
the requests; 4 opposed to the requests; and 1 comment that was not 
applicable to the exemptions. Comments were submitted by 17 members of 
the fishing industry, Maine Division of Marine Resources (ME DMR), 
Massachusetts Division of Marine Fisheries (MA DMF), and four 
environmental non-governmental organizations. Most of the commenters 
simply favored or opposed granting the exemption requests and did not 
otherwise substantively address the details of the exemptions. ME DMR 
supports the exemptions and the additional flexibility they would 
provide to fishermen, but expressed some concern about GOM cod catch 
reporting. In addition to supporting our granting the exemption 
request, MA DMF submitted lengthy comments, including several questions 
and requests for clarifications, which we respond to further below.
    Several commenters opposed removing the GOM BSA restriction due to 
concern that vessels could misreport GOM cod catch as Georges Bank cod. 
While we understand this concern, this is a larger issue that should be 
addressed through a more long-term solution developed by the New 
England Fishery Management Council. We intend to further consult with 
the Council on this issue.
    Some commenters claimed that the exemptions provided benefits to 
larger vessels that could fish offshore but did relatively little to 
help inshore fishing vessels. Most of the GOM cod stock is located 
inshore in the western Gulf of Maine. Therefore, in order to protect 
the most concentrated stocks of GOM cod, we need to reduce fishing 
efforts inshore. This is why the majority of the seasonal interim 
closure areas are inshore and the inshore/dayboat fleet is affected the 
most by the GOM cod seasonal interim closure areas. We considered these 
exemption requests as they were presented to us. Our analyses showed a 
more certain benefit to the fishery overall than the likely potential 
benefit from maintaining trip limits or the single GOM BSA restriction. 
Based on this, we have determined that these exemptions fairly and 
reasonably promote overall conservation consistent with the goals and 
objectives of the groundfish fishery management plan.
    The Conservation Law Foundation (CLF) and the Center for Biological 
Diversity (CBD) opposed the exemption requests because they do not 
adequately

[[Page 12350]]

address the overfishing of GOM cod or efforts to rebuild the overfished 
stocks. We evaluated the impacts of these exemptions compared to the 
status quo under the current GOM cod interim measures. The analyses in 
our supplemental information report indicates that granting these 
exemptions will likely result in conservation positive biological 
impacts as well as positive economic impacts relative to not granting 
the exemptions. We understand that additional measures may need to be 
developed to protect and rebuild GOM cod over the long term. The 
comments provided by CLF and CBD that focused on general GOM cod 
management measures, however, are beyond the scope of these exemption 
requests and are impracticable to address in this document, especially 
given the limited time available, as well as the GOM cod interim 
action. We have concluded that the benefits from approving this 
exemption outweigh the concerns expressed by those that do not support 
the exemption request, particularly because these exemptions are 
effective only from March 4, 2015 through April 30, 2015.
    MA DMF requested that we provide a more thorough explanation of why 
we elected to remove the 200-lb (90.7-kg) trip limit. During the GOM 
cod interim rule public comment period, several sectors proposed a 
similar offer to remove the trip limit in favor of an overall ACE 
reduction; however, we could not develop a means to reduce sector ACE 
through the interim action in a sufficiently timely manner. Re-
allocating a reduced quota amongst all the sectors was too complex and 
potentially disruptive. For example, reducing the allocation of all 
permits enrolled in sectors would create complex logistical challenges 
for sector managers who would then need to reallocate ACE mid-way 
through the fishing year. We were also unsure how to enforce the 
sectors' voluntary proposal not to utilize the ACE through the interim 
action. Also, as explained below, fishing practices changed after the 
GOM cod interim action was put in place. Taking into account these 
changes, our comparison of the potential conservation benefits of the 
trip limits to the firm reduction in the GOM cod ACE weighed in favor 
of removing the trip limit. Further, the sectors submission of a 
regulatory exemption request to voluntarily reduce their ACE provided a 
more feasible and timely process than the interim action process.
    MA DMF questioned how we can claim that removing trip limits (and 
potentially allowing vessels to target cod) reduces regulatory 
discarding. We expect that removing the 200 lb. trip limit should 
reduce regulatory discarding because vessels will no longer be required 
to discard legal sized fish that are caught after the 200-lb limit is 
attained. With trip limits under the interim rule, any undersized fish 
and GOM cod caught after 200 lb (90.7 kg) was on board the vessel was 
legally required to be discarded. Data analyzed after the trip limits 
were implemented (see Figure 2, pg. 8 in the GOM cod Supplemental 
Information Report) indicates that groundfish vessels appeared to 
target GOM cod even with a 200-lb (90.7-kg) trip limit in place. 
Because vessels are required to discard all cod over the 200-lb. limit, 
we were concerned with the potential for increased discards that would 
accompany this increased effort. Removing the trip limit allows vessels 
to discard only fish that are undersized. We stated in our notice that 
with trip limits, there was uncertainty in the amount of reduction in 
cod mortality, in large part due to the uncertainty in the rate of 
discards, but also in the total amount of catch that sectors might 
achieve. Removing the trip limits is expected to reduce discards 
because it allows discarding only of undersized fish and substantially 
reduce the uncertainty in the rate of discards. The 30-mt reduction in 
ACE also provides a firm limit on the total amount of catch.
    MA DMF expressed concern over our proposal to approve minor sector 
exemption modifications without additional notice because they felt 
that we did not adequately define ``minor.'' As explained in the 
notice, our intent is to modify sector exemptions in this manner only 
if a modification is deemed essential to facilitate the exemption and 
has minimal impacts that would not change the scope or impact of the 
initially approved sector exemption request. We interpret this to mean 
that any small change that is necessary for the exemption to be 
implemented properly could be done so without additional notice. We 
expect such changes to be administrative in nature. For instance, there 
may be a monitoring or reporting detail that is inadvertently 
overlooked that could be enacted to improve the effectiveness of the 
exemption. We believe any such change would not alter the intent, 
affect, or impacts of the exemption.
    Several commenters, including MA DMF, suggested that we should have 
further considered the additional 30-mt set-aside offered by the 
sectors in exchange for access to the March GOM cod seasonal interim 
closure areas. These commenters argue that the inshore fleet would 
greatly benefit from fishing in the March closure areas. The primary 
tool in the GOM cod interim rule to reduce GOM cod mortality and 
protect spawning GOM cod was area closures. We spent considerable time 
and effort determining the correct seasons and times and received many 
comments in support of the GOM cod interim seasonal closure areas. 
Also, the commenters have not proposed any comparable protection 
measures for spawning cod that would support modifying these area 
closures. For these reasons, we are unwilling to modify the March 
closure areas.
    MA DMF asked which sectors contributed to the 30-mt set-aside and 
inquired whether the allocation reductions were commensurate with how 
much ACE was set aside (or contributed by each sector). Sector ACE 
trade information is available online at http://www.greateratlantic.fisheries.noaa.gov/aps/monitoring/nemultispecies.html. We regard the relative amount of ACE contributed 
by each sector to be irrelevant to the total reduction in ACE because 
the sectors requesting the exemptions specifically requested to offer 
the exemption to every sector, regardless of whether or not it 
contributed GOM cod ACE to the set-aside. Also, which sector provided 
the ACE is irrelevant to the certainty of the conservation benefit 
provided by the ACE reduction this fishing year.
    We are not putting in place a 30-day delay in effectiveness for 
this action because this document grants exemptions that relieve two 
regulatory restrictions. By recognizing an exemption and eliminating 
the 200-lb GOM cod trip limit and allowing vessels to fish inside and 
outside of the GOM on the same trip, this action is excepted from the 
30-day delayed effectiveness provision of the APA pursuant to 5 U.S.C. 
553(d)(1). This action will allow fishing vessels enrolled in sectors 
greater operational flexibility, which should improve efficiency while 
providing a certain limit on GOM cod mortality. Furthermore, there is 
good cause under 5 U.S.C. 553(d)(3) to implement these exemptions 
immediately because a delay in implementation of these measures would 
reduce the positive economic impacts and potential conservation 
benefits that are intended by these measures. These exemptions are 
effective only from March 4, 2015 through April 30, 2015. Any delay in 
effectiveness would be contrary to the public interest because it would 
significantly reduce the benefits of these measures to groundfish 
sector

[[Page 12351]]

participants, associated fishing communities, and the GOM cod stock.
    These exemptions apply only for the remainder of the 2014 fishing 
year and are available to all sectors who request them. Sector vessels 
that wish to fish under these exemptions must have the appropriate 
Letter of Authorization on board their vessel prior to harvesting more 
than 200 lb (90.7 kg) of GOM cod or fishing inside and outside of the 
GOM BSA on the same trip. The following sectors have received revised 
Letters of Authorization allowing them to fish under these exemptions: 
Maine Coastal Communities Sector; Northeast Fishery Sectors II, III, 
VI, VII, VIII, IX, X, XI; and Sustainable Harvest Sector 1.

    Authority:  16 U.S.C. 1801 et seq.

    Dated: March 4, 2015.
Alan D. Risenhoover,
Director, Office of Sustainable Fisheries, National Marine Fisheries 
Service.
[FR Doc. 2015-05366 Filed 3-4-15; 4:15 pm]
 BILLING CODE 3510-22-P



                                                                 Federal Register / Vol. 80, No. 45 / Monday, March 9, 2015 / Rules and Regulations                                         12349

                                             *      *     *       *      *                           cod ACE, including preventing its use                    We received a total of 24 comments in
                                             [FR Doc. 2015–05222 Filed 3–6–15; 8:45 am]              for potential carryover to the next                   response to our February 23 notice
                                             BILLING CODE 6560–50–P                                  fishing year, if sectors are granted                  soliciting public comment on the sector
                                                                                                     regulatory exemptions from the GOM                    exemption request: 16 comments in
                                                                                                     cod trip limit and GOM BSA restriction.               support of the exemption requests; 3
                                             DEPARTMENT OF COMMERCE                                     As explained in our February 23,                   partially supporting the requests; 4
                                                                                                     2015, notice (80 FR 9438), the sectors                opposed to the requests; and 1 comment
                                             National Oceanic and Atmospheric                        proposed to implement a management                    that was not applicable to the
                                             Administration                                          measure we did not include in our                     exemptions. Comments were submitted
                                                                                                     November 13, 2014, GOM cod interim                    by 17 members of the fishing industry,
                                             50 CFR Part 648                                         rule: A reduction to the ACE available                Maine Division of Marine Resources
                                                                                                     to those sectors that have opted to fish              (ME DMR), Massachusetts Division of
                                             RIN 0648–XD775
                                                                                                     under these regulatory exemptions for                 Marine Fisheries (MA DMF), and four
                                             Magnuson-Stevens Act Provisions;                        the remainder of the fishing year.                    environmental non-governmental
                                             General Provisions for Domestic                         Because the fishing industry will                     organizations. Most of the commenters
                                             Fisheries; Application for Fishing Year                 continue to fish through the end of the               simply favored or opposed granting the
                                             2014 Sector Exemption                                   fishing year, and will continue to                    exemption requests and did not
                                                                                                     encounter GOM cod, the sector                         otherwise substantively address the
                                             AGENCY:  National Marine Fisheries                      exemptions would establish a firm 30-                 details of the exemptions. ME DMR
                                             Service (NMFS), National Oceanic and                    mt reduction in the limit on total cod                supports the exemptions and the
                                             Atmospheric Administration (NOAA),                      catch that is expected to be greater than             additional flexibility they would
                                             Commerce.                                               the mortality reduction that would                    provide to fishermen, but expressed
                                             ACTION: Final grant of regulatory                       otherwise be achieved through the                     some concern about GOM cod catch
                                             exemptions.                                             interim trip-limit measure. In addition               reporting. In addition to supporting our
                                                                                                     to an actual reduction in the total                   granting the exemption request, MA
                                             SUMMARY:  The Regional Administrator,                   potential cod catch, these sector                     DMF submitted lengthy comments,
                                             Greater Atlantic Region, NMFS, has                      exemptions should reduce regulatory                   including several questions and requests
                                             approved a request for exemptions from                  discards, reduce management                           for clarifications, which we respond to
                                             two recently implemented Gulf of                        uncertainty affiliated with catch and                 further below.
                                             Maine cod interim management                            mortality, and improve catch yield,                      Several commenters opposed
                                             measures.                                               while providing greater operational                   removing the GOM BSA restriction due
                                             DATES:  The effective dates of these                    flexibility. For these reasons, we have               to concern that vessels could misreport
                                             regulatory exemptions are from March                    determined that these exemptions are                  GOM cod catch as Georges Bank cod.
                                             4, 2015 through April 30, 2015. The                     consistent with the goals and objectives              While we understand this concern, this
                                             regulatory exemptions were applicable                   of the interim measures and the fishery               is a larger issue that should be
                                             on March 3, 2015.                                       management plan.                                      addressed through a more long-term
                                                                                                        Also in our February 23, 2015, notice,             solution developed by the New England
                                             FOR FURTHER INFORMATION CONTACT:
                                                                                                     we proposed a daily catch reporting                   Fishery Management Council. We
                                             William Whitmore, Fisheries Policy                      requirement in place of the BSA                       intend to further consult with the
                                             Analyst, 978–281–9182.                                  exemption. This requirement was                       Council on this issue.
                                             SUPPLEMENTARY INFORMATION:                              intended to address our concerns about                   Some commenters claimed that the
                                                On March 3, 2015, we granted several                 the accurate apportionment of catch                   exemptions provided benefits to larger
                                             groundfish sectors their request for                    between the BSAs and the incentive to                 vessels that could fish offshore but did
                                             exemptions from two management                          misreport catch on unobserved trips to                relatively little to help inshore fishing
                                             measures implemented in a temporary                     avoid potentially constraining catch                  vessels. Most of the GOM cod stock is
                                             rule intended to enhance protections for                limits. We noted these same concerns in               located inshore in the western Gulf of
                                             Gulf of Maine (GOM) cod (79 FR 67362;                   our 2014 interim action for GOM cod.                  Maine. Therefore, in order to protect the
                                             November 13, 2014). The GOM cod                         Additionally, this issue was discussed                most concentrated stocks of GOM cod,
                                             interim rule implemented several                        during the development of Framework                   we need to reduce fishing efforts
                                             management restrictions including: (1)                  Adjustment 53 to the Northeast                        inshore. This is why the majority of the
                                             A GOM cod trip limit of 200 lb (90.7 kg)                Multispecies Fishery Management Plan,                 seasonal interim closure areas are
                                             for groundfish sector vessels and; (2) a                and is noted in various analyses                      inshore and the inshore/dayboat fleet is
                                             restriction limiting commercial limited                 prepared by the Council in support of                 affected the most by the GOM cod
                                             access groundfish vessels to fishing only               Framework 53. We are continuing to                    seasonal interim closure areas. We
                                             in the GOM broad stock area (BSA) for                   consider the possibility of additional                considered these exemption requests as
                                             the duration of the declared trip. The                  reporting requirements (e.g., daily                   they were presented to us. Our analyses
                                             interim rule also established a series of               Vessel Monitoring System catch reports)               showed a more certain benefit to the
                                             time and area closures to protect GOM                   for commercial groundfish vessels that                fishery overall than the likely potential
                                             cod but we are not relieving or granting                could improve attribution of catch and                benefit from maintaining trip limits or
                                             any exemptions from those closures.                     help reduce the incentive to misreport.               the single GOM BSA restriction. Based
                                                On February 9, 2015, we received an                  We are not specifically requiring these               on this, we have determined that these
                                             exemption request from several sectors.                 additional requirements in this action,               exemptions fairly and reasonably
                                             These sectors worked together to
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                                                                                                     however, to provide time for further                  promote overall conservation consistent
                                             assemble 30 mt of GOM cod annual                        deliberation. We intend to further                    with the goals and objectives of the
                                             catch entitlement (ACE), which was                      consult with the Council on this issue                groundfish fishery management plan.
                                             traded to Northeast Fishery Sector IV, a                to explore whether additional reporting                  The Conservation Law Foundation
                                             lease-only sector with no active fishing                requirements implemented through a                    (CLF) and the Center for Biological
                                             effort. That sector proposed to withhold                future rule-making could help address                 Diversity (CBD) opposed the exemption
                                             and render unusable that 30 mt of GOM                   the noted concerns.                                   requests because they do not adequately


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                                             12350               Federal Register / Vol. 80, No. 45 / Monday, March 9, 2015 / Rules and Regulations

                                             address the overfishing of GOM cod or                   cod) reduces regulatory discarding. We                inshore fleet would greatly benefit from
                                             efforts to rebuild the overfished stocks.               expect that removing the 200 lb. trip                 fishing in the March closure areas. The
                                             We evaluated the impacts of these                       limit should reduce regulatory                        primary tool in the GOM cod interim
                                             exemptions compared to the status quo                   discarding because vessels will no                    rule to reduce GOM cod mortality and
                                             under the current GOM cod interim                       longer be required to discard legal sized             protect spawning GOM cod was area
                                             measures. The analyses in our                           fish that are caught after the 200-lb limit           closures. We spent considerable time
                                             supplemental information report                         is attained. With trip limits under the               and effort determining the correct
                                             indicates that granting these exemptions                interim rule, any undersized fish and                 seasons and times and received many
                                             will likely result in conservation                      GOM cod caught after 200 lb (90.7 kg)                 comments in support of the GOM cod
                                             positive biological impacts as well as                  was on board the vessel was legally                   interim seasonal closure areas. Also, the
                                             positive economic impacts relative to                   required to be discarded. Data analyzed               commenters have not proposed any
                                             not granting the exemptions. We                         after the trip limits were implemented                comparable protection measures for
                                             understand that additional measures                     (see Figure 2, pg. 8 in the GOM cod                   spawning cod that would support
                                             may need to be developed to protect and                 Supplemental Information Report)                      modifying these area closures. For these
                                             rebuild GOM cod over the long term.                     indicates that groundfish vessels                     reasons, we are unwilling to modify the
                                             The comments provided by CLF and                        appeared to target GOM cod even with                  March closure areas.
                                             CBD that focused on general GOM cod                     a 200-lb (90.7-kg) trip limit in place.                  MA DMF asked which sectors
                                             management measures, however, are                       Because vessels are required to discard               contributed to the 30-mt set-aside and
                                             beyond the scope of these exemption                     all cod over the 200-lb. limit, we were               inquired whether the allocation
                                             requests and are impracticable to                       concerned with the potential for                      reductions were commensurate with
                                             address in this document, especially                    increased discards that would                         how much ACE was set aside (or
                                             given the limited time available, as well               accompany this increased effort.                      contributed by each sector).
                                             as the GOM cod interim action. We have                  Removing the trip limit allows vessels                Sector ACE trade information is
                                             concluded that the benefits from                        to discard only fish that are undersized.             available online at http://
                                             approving this exemption outweigh the                   We stated in our notice that with trip                www.greateratlantic.fisheries.noaa.gov/
                                             concerns expressed by those that do not                 limits, there was uncertainty in the                  aps/monitoring/nemultispecies.html.
                                             support the exemption request,                          amount of reduction in cod mortality, in              We regard the relative amount of ACE
                                             particularly because these exemptions                   large part due to the uncertainty in the              contributed by each sector to be
                                             are effective only from March 4, 2015                   rate of discards, but also in the total               irrelevant to the total reduction in ACE
                                             through April 30, 2015.                                 amount of catch that sectors might                    because the sectors requesting the
                                                MA DMF requested that we provide a                   achieve. Removing the trip limits is                  exemptions specifically requested to
                                             more thorough explanation of why we                     expected to reduce discards because it                offer the exemption to every sector,
                                             elected to remove the 200-lb (90.7-kg)                  allows discarding only of undersized                  regardless of whether or not it
                                             trip limit. During the GOM cod interim                  fish and substantially reduce the                     contributed GOM cod ACE to the set-
                                             rule public comment period, several                     uncertainty in the rate of discards. The              aside. Also, which sector provided the
                                             sectors proposed a similar offer to                     30-mt reduction in ACE also provides a                ACE is irrelevant to the certainty of the
                                             remove the trip limit in favor of an                    firm limit on the total amount of catch.              conservation benefit provided by the
                                             overall ACE reduction; however, we                         MA DMF expressed concern over our                  ACE reduction this fishing year.
                                             could not develop a means to reduce                     proposal to approve minor sector                         We are not putting in place a 30-day
                                             sector ACE through the interim action in                exemption modifications without                       delay in effectiveness for this action
                                             a sufficiently timely manner. Re-                       additional notice because they felt that              because this document grants
                                             allocating a reduced quota amongst all                  we did not adequately define ‘‘minor.’’               exemptions that relieve two regulatory
                                             the sectors was too complex and                         As explained in the notice, our intent is             restrictions. By recognizing an
                                             potentially disruptive. For example,                    to modify sector exemptions in this                   exemption and eliminating the 200-lb
                                             reducing the allocation of all permits                  manner only if a modification is deemed               GOM cod trip limit and allowing vessels
                                             enrolled in sectors would create                        essential to facilitate the exemption and             to fish inside and outside of the GOM
                                             complex logistical challenges for sector                has minimal impacts that would not                    on the same trip, this action is excepted
                                             managers who would then need to                         change the scope or impact of the                     from the 30-day delayed effectiveness
                                             reallocate ACE mid-way through the                      initially approved sector exemption                   provision of the APA pursuant to 5
                                             fishing year. We were also unsure how                   request. We interpret this to mean that               U.S.C. 553(d)(1). This action will allow
                                             to enforce the sectors’ voluntary                       any small change that is necessary for                fishing vessels enrolled in sectors
                                             proposal not to utilize the ACE through                 the exemption to be implemented                       greater operational flexibility, which
                                             the interim action. Also, as explained                  properly could be done so without                     should improve efficiency while
                                             below, fishing practices changed after                  additional notice. We expect such                     providing a certain limit on GOM cod
                                             the GOM cod interim action was put in                   changes to be administrative in nature.               mortality. Furthermore, there is good
                                             place. Taking into account these                        For instance, there may be a monitoring               cause under 5 U.S.C. 553(d)(3) to
                                             changes, our comparison of the                          or reporting detail that is inadvertently             implement these exemptions
                                             potential conservation benefits of the                  overlooked that could be enacted to                   immediately because a delay in
                                             trip limits to the firm reduction in the                improve the effectiveness of the                      implementation of these measures
                                             GOM cod ACE weighed in favor of                         exemption. We believe any such change                 would reduce the positive economic
                                             removing the trip limit. Further, the                   would not alter the intent, affect, or                impacts and potential conservation
                                             sectors submission of a regulatory                      impacts of the exemption.                             benefits that are intended by these
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                                             exemption request to voluntarily reduce                    Several commenters, including MA                   measures. These exemptions are
                                             their ACE provided a more feasible and                  DMF, suggested that we should have                    effective only from March 4, 2015
                                             timely process than the interim action                  further considered the additional 30-mt               through April 30, 2015. Any delay in
                                             process.                                                set-aside offered by the sectors in                   effectiveness would be contrary to the
                                                MA DMF questioned how we can                         exchange for access to the March GOM                  public interest because it would
                                             claim that removing trip limits (and                    cod seasonal interim closure areas.                   significantly reduce the benefits of these
                                             potentially allowing vessels to target                  These commenters argue that the                       measures to groundfish sector


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                                                                 Federal Register / Vol. 80, No. 45 / Monday, March 9, 2015 / Rules and Regulations                                               12351

                                             participants, associated fishing                        more than 200 lb (90.7 kg) of GOM cod                   Authority: 16 U.S.C. 1801 et seq.
                                             communities, and the GOM cod stock.                     or fishing inside and outside of the                    Dated: March 4, 2015.
                                               These exemptions apply only for the                   GOM BSA on the same trip. The
                                                                                                                                                           Alan D. Risenhoover,
                                             remainder of the 2014 fishing year and                  following sectors have received revised
                                             are available to all sectors who request                Letters of Authorization allowing them                Director, Office of Sustainable Fisheries,
                                                                                                                                                           National Marine Fisheries Service.
                                             them. Sector vessels that wish to fish                  to fish under these exemptions: Maine
                                             under these exemptions must have the                    Coastal Communities Sector; Northeast                 [FR Doc. 2015–05366 Filed 3–4–15; 4:15 pm]
                                             appropriate Letter of Authorization on                  Fishery Sectors II, III, VI, VII, VIII, IX,           BILLING CODE 3510–22–P
                                             board their vessel prior to harvesting                  X, XI; and Sustainable Harvest Sector 1.
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Document Created: 2015-12-18 12:05:21
Document Modified: 2015-12-18 12:05:21
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal grant of regulatory exemptions.
DatesThe effective dates of these regulatory exemptions are from March 4, 2015 through April 30, 2015. The regulatory exemptions were applicable on March 3, 2015.
ContactWilliam Whitmore, Fisheries Policy Analyst, 978-281-9182.
FR Citation80 FR 12349 
RIN Number0648-XD77

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