80_FR_64530 80 FR 64325 - Alaska; Hunting and Trapping in National Preserves

80 FR 64325 - Alaska; Hunting and Trapping in National Preserves

DEPARTMENT OF THE INTERIOR
National Park Service

Federal Register Volume 80, Issue 205 (October 23, 2015)

Page Range64325-64344
FR Document2015-26813

The National Park Service is amending its regulations for sport hunting and trapping in national preserves in Alaska. This rule provides that the National Park Service does not adopt State of Alaska management actions or laws or regulations that authorize taking of wildlife, which are related to predator reduction efforts (as defined in this rule). This rule affirms current State prohibitions on harvest practices by adopting them as federal regulation. The rule also prohibits the following activities that are allowed under State law: Taking any black bear, including cubs and sows with cubs, with artificial light at den sites; taking brown bears and black bears over bait; taking wolves and coyotes during the denning season; harvest of swimming caribou or taking caribou from a motorboat while under power; and using dogs to hunt black bears. The rule also simplifies and updates procedures for closing an area or restricting an activity in National Park Service areas in Alaska; updates obsolete subsistence regulations; prohibits obstructing persons engaged in lawful hunting or trapping; and authorizes the use of native species as bait for fishing.

Federal Register, Volume 80 Issue 205 (Friday, October 23, 2015)
[Federal Register Volume 80, Number 205 (Friday, October 23, 2015)]
[Rules and Regulations]
[Pages 64325-64344]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-26813]


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DEPARTMENT OF THE INTERIOR

National Park Service

36 CFR Part 13

[NPS-AKRO-18755; PPAKAKROZ5, PPMPRLE1Y.L00000]
RIN 1024-AE21


Alaska; Hunting and Trapping in National Preserves

AGENCY: National Park Service, Interior.

ACTION: Final rule.

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SUMMARY: The National Park Service is amending its regulations for 
sport hunting and trapping in national preserves in Alaska. This rule 
provides that the National Park Service does not adopt State of Alaska 
management actions or laws or regulations that authorize taking of 
wildlife, which are related to predator reduction efforts (as defined 
in this rule). This rule affirms current State prohibitions on harvest 
practices by adopting them as federal regulation. The rule also 
prohibits the following activities that are allowed under State law: 
Taking any black bear, including cubs and sows with cubs, with 
artificial light at den sites; taking brown bears and black bears over 
bait; taking wolves and coyotes during the denning season; harvest of 
swimming caribou or taking caribou from a motorboat while under power; 
and using dogs to hunt black bears. The rule also simplifies and 
updates procedures for closing an area or restricting an activity in 
National Park Service areas in Alaska; updates obsolete subsistence 
regulations; prohibits obstructing persons engaged in lawful hunting or 
trapping; and authorizes the use of native species as bait for fishing.

DATES: This rule is effective November 23, 2015.

FOR FURTHER INFORMATION CONTACT: Andee Sears, Regional Law Enforcement 
Specialist, Alaska Regional Office, 240 West 5th Ave., Anchorage, AK 
99501. Phone (907) 644-3417. Email: [email protected]

SUPPLEMENTARY INFORMATION: 

Background

Proposed Rule and Public Comment Period

    On September 4, 2014, the National Park Service (NPS) published the 
proposed rule in the Federal Register (79 FR 52595). The rule was open 
for public comment for 90 days, until December 3, 2014. The NPS 
reopened the comment period from January 15, 2015 through February 15, 
2015 (80 FR 2065). The NPS invited comments through the mail, hand 
delivery, and through the Federal eRulemaking Portal at http://www.regulations.gov.
    During the first comment period in 2014, the NPS held 17 public 
hearings in various locations in Alaska. Approximately 168 individuals 
attended these hearings and approximately 120 participants provided 
testimony during the formal public comment sessions. During the second 
comment period, nine public meetings were held in the State. A total of 
29 individuals attended the public meetings, and a total of nine 
attendees spoke during the formal public comment sessions. The NPS also 
held two statewide government-to-government consultation 
teleconferences, and offered to consult in person, with tribes. Four 
comments were received during the statewide government-to-government 
consultation conference calls and the NPS met with three tribes that 
requested consultation in person (Allakaket, Tazlina, and Chesh'na 
(Chistochina)).
    The NPS received approximately 70,000 comments on the proposed rule 
during the public comment period. These included unique comment 
letters, form letters, and signed petitions. Approximately 65,000 
comments were form letters. The NPS also received three petitions with 
a combined total of approximately 75,000 signatures. Some commenters 
sent comments by multiple methods. NPS attempted to match such 
duplicates and count them as one comment. Additionally, many comments 
were signed by more than one person. NPS counted a letter or petition 
as a single comment, regardless of the number of signatories.
    A summary of comments and NPS responses is provided below in the 
section entitled ``Summary of and Responses to Public Comments.'' After 
considering the public comments and additional review, the NPS made 
some changes in the final rule from that proposed. These changes are 
summarized below in the section entitled ``Changes from the Proposed 
Rule.''

Federal and State Mandates for Managing Wildlife.

    In enacting the Alaska National Interest Lands Conservation Act 
(ANILCA) (16 U.S.C. 410hh-410hh-5; 3101-3233) in 1980, Congress's 
stated purpose was to establish in Alaska various conservation system 
units that contain nationally significant values, including units of 
the National Park System, in order to preserve them ``for the benefit, 
use, education, and inspiration of present and future generations[.]'' 
16 U.S.C. 3101(a). Included among the express purposes in ANILCA are 
preservation of wildlife, wilderness values, and natural undisturbed, 
unaltered ecosystems while allowing for recreational opportunities, 
including sport hunting. 16 U.S.C. 3101(a)-(b).
    The legislative history of ANILCA reinforces the purpose of the 
National Park System units to maintain natural, undisturbed ecosystems. 
``Certain units have been selected because they provide undisturbed 
natural laboratories--among them the Noatak, Charley, and Bremner River 
watersheds.'' Alaska National Interest Lands, Report of the Senate 
Committee on Energy and Natural Resources, Report No. 96-413 at page 
137 [hereafter Senate Report]. Legislative history identifies Gates of 
the Artic, Denali, Katmai, and Glacier Bay National Parks as ``large 
sanctuaries where fish and wildlife may roam freely, developing their 
social structures and evolving over long periods of time as nearly as 
possible without the changes that extensive human activities would 
cause.'' Senate Report, at page 137.
    The congressional designation of ``national preserves'' in Alaska 
was for the specific and sole purpose of allowing sport hunting and 
commercial trapping, unlike areas designated as national parks. 126 
Cong. Rec. H10549 (Nov. 12, 1980) (Statement of Rep. Udall). 16 U.S.C. 
3201 directs that national preserves shall be managed ``in the same 
manner as a national park . . . except that the taking of fish and 
wildlife for sport purposes and subsistence uses, and trapping shall be 
allowed in a national preserve[.]'' Under ANILCA and as used in this 
document, the term ``subsistence'' refers to subsistence activities by 
rural Alaska residents authorized by Title VIII of ANILCA, which ANILCA 
identifies as the priority consumptive use of fish and

[[Page 64326]]

wildlife on public lands. 16 U.S.C. 3144. Subsistence taking of fish 
and wildlife in NPS areas is generally regulated by the Department of 
the Interior. Taking wildlife for sport purposes in national preserves 
is generally regulated by the State of Alaska.
    In addressing wildlife harvest, the legislative history provided 
``the Secretary shall manage National Park System units in Alaska to 
assure the optimum functioning of entire ecological systems in 
undisturbed natural habitats. The standard to be met in regulating the 
taking of fish and wildlife and trapping, is that the preeminent 
natural values of the Park System shall be protected in perpetuity, and 
shall not be jeopardized by human uses.'' 126 Cong. Rec. H10549 (Nov. 
12, 1980) (Statement of Rep. Udall). This is reflected in the statutory 
purposes of various national preserves that were established by ANILCA, 
which include the protection of populations of fish and wildlife, 
including specific references to predators such as brown/grizzly bears 
and wolves.
    Activities related to taking wildlife remain subject to other 
federal laws, including the mandate of the NPS Organic Act (54 U.S.C. 
100101) ``to conserve the scenery, natural and historic objects, and 
wild life'' in units of the National Park System and to provide for 
visitor enjoyment of the same for this and future generations. Policies 
implementing the NPS Organic Act require the NPS to protect natural 
ecosystems and processes, including the natural abundances, 
diversities, distributions, densities, age-class distributions, 
populations, habitats, genetics, and behaviors of wildlife. NPS 
Management Policies 2006 Sec. Sec.  4.1, 4.4.1, 4.4.1.2, 4.4.2. The 
legislative history of ANILCA reflects that Congress did not intend to 
modify the NPS Organic Act or its implementing policies in this 
respect: ``the Committee recognizes that the policies and legal 
authorities of the managing agencies will determine the nature and 
degree of management programs affecting ecological relationships, 
population's dynamics, and manipulations of the components of the 
ecosystem.'' Senate Report, at pages 232-331. NPS policy states that 
``activities to reduce . . . native species for the purpose of 
increasing numbers of harvested species (i.e. predator control)'' are 
not allowed on lands managed by the NPS. NPS Management Policies 2006 
Sec.  4.4.3.
    The State's legal framework for managing wildlife in Alaska is 
based on sustained yield, which is defined by State statute to mean 
``the achievement and maintenance in perpetuity of the ability to 
support a high level of human harvest of game[.]'' AS Sec.  
16.05.255(k)(5). To that end, the Alaska Board of Game (BOG) is 
directed to ``adopt regulations to provide for intensive management 
programs to restore the abundance or productivity of identified big 
game prey populations as necessary to achieve human consumptive use 
goals[.]'' AS Sec.  16.05.255(e). Allowances that manipulate natural 
systems and processes to achieve these goals, including actions to 
reduce or increase wildlife populations for harvest, conflict with laws 
and policies applicable to NPS areas that require preserving natural 
wildlife populations. See, e.g., NPS Management Policies 2006 
Sec. Sec.  4.1, 4.4.3.
    This potential for conflict was recognized by the Senate Committee 
on Energy and Natural Resources prior to the passage of ANILCA, when 
the Committee stated that ``[i]t is contrary to the National Park 
Service concept to manipulate habitat or populations to achieve maximum 
utilization of natural resources. Rather, the National Park System 
concept requires implementation of management policies which strive to 
maintain natural abundance, behavior, diversity and ecological 
integrity of native animals as part of their ecosystem, and that 
concept should be maintained.'' Senate Report, at page 171.
    In the last several years, the State of Alaska has allowed an 
increasing number of liberalized methods of hunting and trapping 
wildlife and extended seasons to increase opportunities to harvest 
predator species. Predator harvest practices recently authorized on 
lands in the State, including lands in several national preserves, 
include:
     Taking any black bear, including cubs and sows with cubs, 
with artificial light at den sites;
     harvesting brown bears over bait (which often includes dog 
food, bacon/meat grease, donuts, and other human food sources); and
     taking wolves and coyotes (including pups) during the 
denning season when their pelts have little trophy, economic, or 
subsistence value.
    These practices are not consistent with the NPS's implementation of 
ANILCA's authorization of sport hunting and trapping in national 
preserves. To the extent such practices are intended or reasonably 
likely to manipulate wildlife populations for harvest purposes or alter 
natural wildlife behaviors, they are not consistent with NPS management 
policies implementing the NPS Organic Act or the sections of ANILCA 
that established the national preserves in Alaska. Additional 
liberalizations by the State that are inconsistent with NPS management 
directives, policies, and federal law are anticipated in the future.
    16 U.S.C. 3201 of ANILCA provides ``within national preserves the 
Secretary may designate zones where and periods when no hunting, 
fishing, trapping, or entry may be permitted for reasons of public 
safety, administration, floral and faunal protection, or public use and 
enjoyment.'' In order to comply with federal law and NPS policy, the 
NPS has adopted temporary restrictions under 36 CFR 13.40(e) to prevent 
the application of the above listed predator harvest practices to 
national preserves in Alaska (see, e.g., 2013 Superintendent's 
Compendium for Denali National Park and Preserve). These restrictions 
protect fauna and provide for public use and enjoyment consistent with 
ANILCA. While the NPS prefers a State solution to these conflicts, the 
State has been mostly unwilling to accommodate the different management 
directives for NPS areas. In the last ten years, the NPS has objected 
to more than fifty proposals to liberalize predator harvest in areas 
that included national preserves, and each time the BOG has been 
unwilling to exclude national preserves from State regulations designed 
to manipulate predator/prey dynamics for human consumptive use goals.
    In deciding not to treat NPS lands differently from State and other 
lands, the BOG suggested the NPS was responsible for ensuring that 
taking wildlife complies with federal laws and policies applicable to 
NPS areas, and that the NPS could use its own authority to ensure 
national preserves are managed in a manner consistent with federal law 
and NPS policy. See, e.g., Statement of BOG Chairman Judkins to 
Superintendent Dudgeon, BOG Public Meeting in Fairbanks, Alaska 
(February 27, 2010) (NPS was testifying in opposition to allowing the 
take of black bear cubs and sows with cubs with artificial light in 
national preserves). In the absence of State action excluding national 
preserves, this rulemaking is required to make the temporary 
restrictions permanent. 36 CFR 13.50(d). This rule responds to the 
BOG's suggestion by promulgating NPS regulations to ensure national 
preserves are managed consistent with federal law and policy and 
prevent historically prohibited sport hunting practices from being 
authorized in national preserves.
    The scope of this rule is limited--sport hunting and trapping are 
still allowed throughout national preserves and the vast majority of 
State hunting regulations are consistent with federal

[[Page 64327]]

law and policy and continue to apply in national preserves. This rule 
only restricts sport hunting and trapping in national preserves, which 
constitute less than six percent of the lands in Alaska open to 
hunting. This rule does not limit the taking of wildlife for Title VIII 
subsistence uses under the federal subsistence regulations.

Final Rule

Summary of Final Rule

    The rule separates regulations that govern the taking of fish and 
the taking of wildlife into two sections: 13.40 and 13.42, 
respectively. The rule makes the following substantive changes to 
existing NPS regulations:
    (1) In accordance with NPS policies, taking wildlife, hunting or 
trapping activities, or management actions involving predator reduction 
efforts with the intent or potential to alter or manipulate natural 
predator-prey dynamics and associated natural ecological processes to 
increase harvest of ungulates by humans are not allowed on NPS-managed 
lands. It also explains how the NPS will notify the public of specific 
activities that are not consistent with this section.
    (2) Affirms current State prohibitions on harvest practices by 
adopting them as federal regulation, and also maintains historical 
prohibitions on certain practices that the State has recently 
authorized for sport hunting of predators: (i) Taking any black bear, 
including cubs and sows with cubs, with artificial light at den sites; 
(ii) taking brown bears over bait; and (iii) taking wolves and coyotes 
during the denning season. The rule also eliminates exceptions to 
practices generally prohibited under State of Alaska law, thereby 
prohibiting: Taking caribou that are swimming, or from a motorboat that 
is under power, in two game management units (GMU); baiting black 
bears; and using dogs to hunt black bears.
    (3) Prohibits intentionally obstructing or hindering persons 
actively engaged in lawful hunting or trapping.
    (4) Updates and simplifies procedures for implementing closures or 
restrictions in park areas, including taking fish and wildlife for 
sport purposes.
    (5) Updates NPS regulations to reflect federal assumption of the 
management of subsistence hunting and fishing under Title VIII of 
ANILCA from the State in the 1990s.
    (6) Allows the use of native species as bait, commonly salmon eggs, 
for fishing in accordance with applicable federal and non-conflicting 
State law. This supersedes for park areas in Alaska the National Park 
System-wide prohibition on using certain types of bait in 36 CFR 
2.3(d)(2).

Prohibiting Predator Reduction

    Activities or management actions involving predator reduction 
efforts with the intent or potential to alter or manipulate natural 
ecosystems or processes (including natural predator/prey dynamics, 
distributions, densities, age-class distributions, populations, 
genetics, or behavior of a species) are inconsistent with the laws and 
policies applicable to NPS areas. The rule clarifies in regulation that 
these activities are not allowed on NPS lands in Alaska. Under this 
rule, the Regional Director will compile a list updated at least 
annually of activities prohibited by this section of the rule. Notice 
will be provided in accordance with 36 CFR 13.50(f) of this rule.

Prohibiting Methods and Means of Taking Wildlife in National Preserves

    The rule codifies for national preserves current State prohibitions 
on harvest practices, and also maintains historical prohibitions on 
certain sport hunting practices that have been recently authorized by 
the State for taking predators. It also eliminates exceptions (as 
applied to national preserves) under State laws that authorize sport 
hunters to take swimming caribou, to take caribou from motorboats under 
power, to take black bears over bait, and to use dogs to hunt black 
bears. The elements of the rule that are described in this paragraph 
will not be implemented until January 1, 2016, to avoid any potential 
confusion that may arise from issuing this rule during the 2015 hunting 
seasons. Delaying the implementation of these provisions will give the 
general public and other stakeholders sufficient time to understand the 
new rules before the 2016 hunting seasons begin.

Prohibiting the Obstruction of Persons Engaged in Lawful Hunting or 
Trapping

    The rule prohibits the intentional obstruction or hindrance of 
another person's lawful hunting or trapping activities. This includes 
(i) placing oneself in a location in which human presence may alter the 
behavior of the game that another person is attempting to take or alter 
the imminent feasibility of taking game by another person; or (ii) 
creating a visual, aural, olfactory, or physical stimulus in order to 
alter the behavior of the game that another person is attempting to 
take. These actions are prohibited by State law, but this law is not 
adopted under the regulations for national preserves, because it does 
not directly regulate hunting and trapping. This rule directly codifies 
these prohibitions into the NPS regulations, to prevent the frustration 
of lawful hunting and trapping in national preserves.

Updating Closure and Restriction Procedures

    The rule updates and simplies the procedures for implementing 
closures and restrictions on certain activities in NPS areas in Alaska. 
These changes will make the procedures in Alaska more consistent with 
other NPS units outside of Alaska and with Alaska State Parks. The rule 
clarifies that Superintendents must use the procedures in Sec.  13.50 
to implement any closure or restriction in NPS areas in Alaska. This 
eliminates potential confusion about whether the procedures in Sec.  
13.50 apply only when they are referenced in a separate regulation in 
part 13 (currently found in the regulations for weapons, camping, and 
taking fish and wildlife), or whether they apply to all closures and 
restrictions in Alaska.
    The rule requires rulemaking for nonemergency closures or 
restrictions if the closures or restrictions (or the termination or 
relaxation of them) are of a nature, magnitude and duration that will 
result in a significant alteration in the public use pattern of the 
area, adversely affect the area's natural, aesthetic, scenic or 
cultural values, or require a long-term or significant modification in 
the resource management objectives of the area. These rulemaking 
criteria are modeled after the the criteria that apply to closures and 
restrictions in Alaska State Parks (11 AAC 12.335), which are also 
similar to the criteria in 36 CFR 1.5(b) that apply to NPS areas 
outside of Alaska. Emergency closures and restrictions are limited to 
the duration of the emergency.
    Before a nonemergency closure or restriction can be implemented, 
the NPS must issue a written determination explaining the basis of the 
closure or restriction. The NPS will also compile in writing a list, 
updated annually, of all closures and restrictions (i.e., the 
compendium). The compendium and the written determinations of need will 
be posted on the NPS Web site and made available at park headquarters.
    With respect to nonemergency restrictions on taking of fish and 
wildlife in national preserves, the final rule requires an opportunity 
for public comment, including a public meeting near the affected NPS 
unit, before the action is taken. This rule recognizes that, although 
the internet has become

[[Page 64328]]

an effective method of communicating with the public, in-person public 
meetings may still be the most effective way to engage Alaskans, 
particularly those in rural areas. The rule also requires the NPS to 
consult with the State prior to adopting such closures and 
restrictions. Emergency closures or restrictions on the taking of fish 
or wildlife are limited to 60 days and may only be extended after 
consultation with the State and an opportunity for public comment, 
including a public meeting, near the affected NPS unit.
    The following table summarizes the changes from the proposed rule 
regarding procedures to implement closures or restrictions in Sec.  
13.50:

------------------------------------------------------------------------
        Proposed rule procedures              Final rule procedures
------------------------------------------------------------------------
                              Applicability
------------------------------------------------------------------------
Applies only to closures pertaining to   Applies to all closures or
 weapons, camping, and taking of fish     restrictions except when more
 or wildlife.                             specific procedures apply in
                                          36 CFR part 13.
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    Factors used to determine whether to close an area or restrict an
                                activity
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Includes protecting the integrity of     Retains factors in existing
 naturally-functioning ecosystems as an   regulations at 13.50.
 appropriate reason for a closure or
 restriction.
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                         Written determinations
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Not required...........................  Requires a written
                                          determination explaining the
                                          reason for the proposed
                                          closure/restriction in
                                          nonemergency situations. This
                                          determination will be posted
                                          on www.nps.gov.
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                   Emergency Closures or Restrictions
------------------------------------------------------------------------
May not exceed 60 days.................  Duration of the emergency,
                                          except for emergency closures
                                          or restrictions on taking fish
                                          or wildlife, which may not
                                          exceed 60 days.
------------------------------------------------------------------------
         Restrictions on Taking Fish or Wildlife (nonemergency)
------------------------------------------------------------------------
Consultation with the State and          Consultation with the State and
 opportunity for public comment prior     opportunity for public
 to adopting a closure or restriction.    comment, including one or more
                                          public meetings near the
                                          affected NPS unit, prior to
                                          implementing a closure or
                                          restriction.
------------------------------------------------------------------------
                                 Notice
------------------------------------------------------------------------
Closures or restrictions will be         Some closures or restrictions
 effective upon publication on park       will be effective upon
 website.                                 publication on park websites,
                                          but other closures or
                                          restrictions may be posted on
                                          a park website prior to taking
                                          effect, to give the public
                                          adequate time to understand
                                          and comply with them. A list
                                          of closures and restrictions
                                          will be compiled in writing
                                          and updated annually, and will
                                          be posted on the park
                                          websites.
------------------------------------------------------------------------

Update Subsistence Regulations to Reflect Federal Management

    The rule updates the subsistence provisions in NPS regulations (36 
CFR 13.470, 13.480, and 13.490) to reflect the federal government's 
assumption of the management and regulation of subsistence take of fish 
and wildlife under ANILCA and the transfer of subsistence management 
under Title VIII from the State to the Federal Subsistence Board. The 
rule makes other non-substantive, editorial changes to the language in 
36 CFR 13.490 to streamline, clarify, and better organize this section.

Allowing the Use of Native Species as Bait for Fishing

    NPS regulations generally prohibit the use of many forms of bait 
for fishing to help protect against the spread of nonnative species. 
Fish eggs from native species (usually salmon), are commonly used for 
fishing in Alaska. This rule allows the use of local native species as 
bait for fishing.

Frequently Asked Questions

    This section explains some of the principal elements of the rule in 
a question and answer format.

Why is this rule necessary?

    The rule responds to State hunting regulations that authorize 
wildlife harvest practices that conflict with ANILCA's authorization 
for sport hunting, the statutory purposes for which national preserves 
were established, and the NPS Organic Act as implemented by the NPS. 
These include liberalized predator harvest seasons, bear baiting, and 
the harvest of caribou while swimming. National park areas are managed 
for natural ecosystems and processes, including wildlife populations. 
The NPS legal and policy framework prohibits reducing native predators 
for the purpose of increasing numbers of harvested species.
    As discussed above, the rule also responds to a number of other 
regulatory needs, by updating and streamlining closure procedures, 
updating subsistence provisions to reflect the program's actual 
management, prohibiting interference with lawful hunting consistent 
with State law, and allowing use of native species as bait for fishing.

Does this rule restrict subsistence harvest of wildlife under Title 
VIII of ANILCA?

    No.

Does this rule prohibit all hunting under State regulations on national 
preserves in Alaska?

    No. This rule restricts certain methods of harvest currently 
allowed on national preserves by the State of Alaska under its general 
hunting regulations. These include the taking of any black bear, 
including cubs and sows with cubs, with artificial light at den sites, 
taking

[[Page 64329]]

brown and black bears over bait, taking wolves and coyotes between May 
1 and August 9, harvest of swimming caribou or taking caribou from a 
motorboat while under power, and using dogs to hunt black bears. 
Additionally, State laws or regulations involving predator reduction 
efforts with the intent or potential to alter or manipulate natural 
predator-prey dynamics and associated natural ecological processes to 
increase harvest of ungulates by humans will not apply in national 
preserves, pursuant to this rule. These restrictions will affect a very 
small percentage of hunting practices authorized by State regulation 
and less than six percent of the lands in Alaska that are open to 
hunting.

What regulations apply to hunting and trapping in national preserves?

    Title 36 of the Code of Federal Regulations (CFR) applies to sport 
hunting and trapping in national preserves. State harvest laws and 
regulations (Alaska Statute Title 16 and Alaska Administrative Code 
Title 5 AAC) that are consistent with 36 CFR also apply on national 
preserves. ANILCA Title VIII subsistence harvest of fish and wildlife 
by Federally-qualified rural residents is authorized in national 
preserves in Alaska under 36 CFR part 13 and 50 CFR part 100. Please 
contact the park chief ranger for additional information or assistance.

Do I still have to use the State regulations book when hunting on 
national preserves?

    Yes. State hunting regulations apply to national preserves except 
when in conflict with federal regulation. Please contact the park chief 
ranger for additional information or assistance.

Does this rule restrict intensive management of predators on NPS lands?

    Yes. Consistent with NPS Management Policies 2006, the NPS Organic 
Act, and the statutory purposes for which national preserves were 
established, this rule prohibits predator reduction activities on 
national preserves that have the intent or potential to alter or 
manipulate natural predator-prey dynamics and associated natural 
ecological processes to increase harvest of ungulates by humans.

What is the authority for the NPS to restrict hunting and trapping in 
this rule?

    The NPS Organic Act authorizes the NPS to promulgate regulations 
that are necessary and proper for the use and management of National 
Park System units, including national preserves in Alaska, for the 
purpose of conserving the wild life and providing for the enjoyment of 
the wild life in such manner and by such means as will leave them 
unimpaired for the enjoyment of future generations. 54 U.S.C. 100101(a) 
and 100751. ANILCA authorizes the Secretary of the Interior, acting 
through the NPS, to promulgate regulations prescribing restrictions 
relating to hunting, fishing, or trapping for reasons of public safety, 
administration, floral and faunal protection, or public use and 
enjoyment. 16 U.S.C. 3201 and 3202.

The rule says that State laws or management actions involving predator 
reduction are not adopted in national preserves. How will I know if a 
State law involves predator reduction?

    The Regional Director will compile a list updated at least annually 
of State laws and regulations that are not adopted in national 
preserves. This list will be posted at www.nps.gov and available upon 
request at NPS park headquarters.

I live in a nonrural area and hunt under State subsistence regulations. 
Does this rule restrict my subsistence harvest practices?

    Title VIII of ANILCA limits subsistence activities to local rural 
residents. This rule does not restrict federally-qualified subsistence 
users who are hunting in accordance with federal subsistence 
regulations. But those persons living in nonrural areas (who therefore 
are not federally-qualified subsistence users) must comply with the 
restrictions in this rule. For example, only federally qualified 
subsistence users hunting under federal subsistence regulations will be 
able to take swimming caribou within national preserves, for all others 
this practice will now be prohibited in national preserves.

How is hunting on national preserves different than hunting on State 
land?

    Hunting in national preserves is different than on State (or 
private) lands because NPS regulations also apply and govern in the 
event of a conflict with State law or regulation. However, harvest 
opportunities and practices in national preserves vary little from 
practices allowed under State law, except for some very specific 
circumstances for which where the NPS has issued regulations. For 
example, same-day airborne hunting of big game animals, arctic fox, red 
fox, and lynx has not been allowed on NPS lands since 1995. This rule 
adds several additional NPS regulations prohibiting the following 
harvest practices that are allowed under State law: (1) Taking any 
black bear, including cubs and sows with cubs, with artificial light at 
den sites, (2) taking brown bears and black bears over bait, (3) taking 
wolves and coyotes from May 1 through August 9, (4) harvest of swimming 
caribou and harvest of caribou from a moving motorboat by those other 
than local rural residents in those portions of Noatak, Gates of the 
Arctic, and Bering Land Bridge Preserves that are within GMUs 23 and 
26, and (5) using dogs to hunt black bears.

Black bear baiting has been allowed for more than three decades. Why is 
the NPS prohibiting it now?

    The NPS proposed prohibiting the harvest of brown bears over bait 
to avoid public safety issues, to avoid food-conditioning bears and 
other species, and to maintain natural bear behavior as required by NPS 
law and policy. Other land and wildlife management agencies strive to 
eliminate the feeding of bears through individual and collective 
educational efforts due to the increased likelihood that food-
conditioned bears will be killed by agency personnel or the public in 
defense of life or property. Food-conditioned bears are also believed 
more likely to cause human injury. Baiting tends to occur in accessible 
areas used by multiple user groups, which contributes to the public 
safety concerns associated with baiting. The concerns presented with 
taking brown bears over bait also apply to black bear baiting. After 
reviewing public comment, the final rule prohibits taking both black 
bears and brown bears over bait in national preserves.

Why is the NPS prohibiting the take of swimming caribou by individuals 
who are not federally qualified subsistence users?

    Taking swimming big game is already generally prohibited by State 
law, but there are exceptions in State law for the take of swimming 
caribou in GMUs 23 and 26, which include portions of Noatak, Bering 
Land Bridge, and Gates of the Arctic National Preserves. This method of 
harvest remains available to federally qualified subsistence users in 
their pursuit of food. However, as is further explained below, this 
method is one of those that NPS has found is not consistent with 
ANILCA's authorization for sport hunting in national preserves.

Does this rule impact fishing in NPS units in Alaska?

    Yes. This rule allows federally qualified subsistence users to use 
native species as bait for fishing in accordance with federal 
subsistence regulations.

[[Page 64330]]

Others will also be able to use native species for bait when such use 
is in accordance with non-conflicting State fishing regulations.

What procedures must the NPS follow to adopt closures and restrictions 
in NPS units in Alaska?

    The procedures in 36 CFR 13.50 apply to all closures and 
restrictions in NPS units in Alaska, unless there are more specific 
procedures stated elsewhere in law or regulation. For example, the 
following regulations have specific procedures:
     Unattended or abandoned property, 36 CFR 13.45
     Use of snowmobiles, motorboats, dog teams, and other means 
of surface transportation traditionally employed by local rural 
residents engaged in subsistence uses, 36 CFR 13.460
     Subsistence use of timber and plant material, 36 CFR 
13.485
     Closure to subsistence uses of fish and wildlife, 36 CFR 
13.490

What closures or restrictions will require notice and comment 
rulemaking that is published in the Federal Register?

    Any nonemergency closure or restriction, or the termination or 
relaxation of such, which is of a nature, magnitude, and duration that 
will result in a significant alteration in the public use pattern of 
the area; adversely affect the area's natural, aesthetic, scenic, or 
cultural values; or require a long-term modification in the resource 
management objectives of the area.

Doesn't ANILCA require public hearings prior to adopting closures or 
restrictions?

    Public hearings near the affected vicinity are required before 
restricting: (1) Subsistence harvest of fish or wildlife under Title 
VIII of ANILCA or (2) access authorized under 16 U.S.C. 3170 (a) of 
ANILCA. There is no statutory requirement for a public hearing for 
other types of closures or restrictions.

Did the NPS eliminate a requirement for public hearings in the affected 
areas before adopting closures or restrictions relating to the take of 
fish and wildlife?

    The proposed rule included a requirement to provide an opportunity 
for public comment on potential restrictions to taking fish or 
wildlife. Public comment may include written comments, a public 
meeting, a public hearing, or a combination thereof. Based upon public 
comment and to be more consistent with the practices of the BOG and the 
Federal Subsistence Board, the NPS modified the proposed rule to 
provide that the opportunity for comment must include at least one 
public meeting near the affected NPS unit in nonemergency situations. 
This is a change from the existing regulations, which require a public 
hearing. Requiring a ``meeting'' instead of a ``hearing'' provides more 
flexibility on how the event is structured. During the public hearings 
conducted in 2014, the NPS received feedback that some local 
communities prefer a less formal approach and more opportunities for 
dialog with NPS managers. The NPS believes the term ``meeting'' more 
appropriately describes this type of informational exchange. The NPS 
also believes the term public meeting is broad enough to include a 
public hearing if that is more appropriate for the area.

Where can I find information about closures and restrictions?

    Information about closures and restrictions is posted on each 
park's Web site at www.nps.gov. This information is also available upon 
request at NPS park headquarters.

Why did the NPS delete the references to State law in the subsistence 
regulations?

    The NPS deleted the provisions adopting non-conflicting State law 
because the State no longer manages subsistence harvest under Title 
VIII of ANILCA. Subsistence harvest of fish and wildlife on federal 
public lands is generally regulated by the Federal Subsistence Board.

Is the NPS required to consult with the State prior to adopting 
closures or restrictions to taking fish or wildlife?

    Yes, except in the case of emergencies.

Is the NPS required to consult with tribes and ANCSA Native 
Corporations?

    Yes, the NPS is required to consult with tribes if an NPS action 
would have a substantial direct effect on federally recognized Indian 
tribes. Consultation with ANCSA Native Corporations is required if an 
NPS action would have a substantial direct effect on ANCSA Native 
Corporation lands, waters, or interests.

Is the NPS required to consult with affected user groups, such as 
Regional Advisory Committees, Subsistence Resource Commissions, hunting 
organizations, or other nongovernmental organizations?

    While this kind of consultation is not required by law, the NPS 
regards the input from these advisory and other groups as invaluable. 
The NPS encourages these groups to engage with park managers on topics 
of interest. The NPS also invites and encourages these committees and 
groups to provide input on decisions affecting public use of NPS 
managed lands as outlined in this final rule.

Summary of and Responses to Public Comments

    A summary of substantive comments and NPS responses is provided 
below followed by a table that sets out changes we have made to the 
proposed rule based on the analysis of the comments and other 
considerations.

Consultation

    1. Comment: Some commenters stated the NPS did not adequately 
consult with the State of Alaska prior to publishing the proposed rule 
and in doing so, acted inconsistently with ANILCA, the Master 
Memorandum of Understanding between the NPS and the Alaska Department 
of Fish and Game (ADF&G), and Executive Order 12866.
    NPS Response: The NPS respects its responsibility to consult with 
the State (and others) regarding NPS actions, especially given that 
wildlife management in NPS units is a responsibility that is shared 
between the NPS and the State. Publication of the proposed rule 
provided an opportunity for consultation between the NPS and the State. 
The NPS and the ADF&G met shortly after the publication of the proposed 
rule, which is consistent with ANILCA's consultation requirement. 16 
U.S.C. 3201. The NPS has engaged in ongoing communications with the 
ADF&G, the BOG, the State of Alaska ANILCA Implementation Program, and 
the State of Alaska Citizen's Advisory Commission on Federal Areas for 
a number of years regarding the issues that this rule addresses.
    Executive Order 12866 requires federal agencies to ``seek views of 
appropriate State, local, and tribal governments before imposing 
regulatory requirements that might significantly or uniquely affect 
those governmental entities.'' Sec. 1(b)(9). As discussed below, the 
Office of Management and Budget determined this rule is not a 
significant regulatory action subject to this requirement. Regardless, 
the NPS invited the views of State, local, and tribal governments 
before publishing this final rule, and also complied with its 
responsibilities under section 4 of the Executive Order by including 
the proposed rule in the Unified Regulatory Agenda that was published 
by the Office of Management and Budget on reginfo.gov.

[[Page 64331]]

    The NPS signed and implemented the Master Memorandum of 
Understanding (MMOU) with the ADF&G in 1982. The MMOU states that the 
ADF&G will manage wildlife on NPS managed lands for natural species 
diversity and natural process. The NPS agreed to recognize ADF&G as 
having the primary responsibility to manage wildlife on lands in the 
State and utilize the State's regulatory process to the maximum extent 
possible. Both agencies agreed to coordinate planning to minimize 
conflicts from differing legal mandates and consult with each other 
when developing regulations. The NPS continues to recognize the State 
as having primary responsibility to manage fish and wildlife on lands 
in the State. However, the State's responsibility is not exclusive and 
it does not preclude federal regulation of wildlife on federal public 
lands, as is well-established in the courts and specifically stated in 
ANILCA. The NPS also attempted to utilize the State regulatory process 
to notify the BOG when proposals created a conflict with NPS laws, 
regulations, and policies, years before the publication of the proposed 
rule. During this time NPS requested that the conflicts be resolved, as 
a first resort, through the State regulatory process. Only after 
conflicts could not be resolved through that process, and the BOG 
suggested the NPS could use its own authority to meet is mandates for 
managing wildlife, did the NPS consider modifications to federal 
regulations to resolve the conflicts.
    2. Comment: Some commenters stated that the NPS did not adequately 
consult with tribes, various advisory committees, and rural residents 
prior to publishing the proposed rule.
    NPS Response: NPS has an obligation to consult with tribes prior to 
making a decision that would have a substantial direct effect on 
federally-recognized tribes. Even though the NPS determined that the 
proposed rule would not have a substantial direct effect on tribes, the 
NPS initiated consultation shortly after publication of the proposed 
rule. The NPS emailed a letter to tribes inviting them to consult and 
notifying them of two statewide conference calls dedicated to tribal 
consultation in the fall of 2014. No one provided comments or asked 
questions during the first call. On the second call, four individuals 
who serve as members of tribal councils provided comments. Park 
managers also contacted tribes with ties to the park areas by phone, 
email, and letter to invite them to consult. NPS met in person with 
three tribes that requested additional consultation. The NPS also 
provided information to affected Subsistence Resource Commissions and 
Regional Advisory Councils beginning when the first temporary wildlife 
harvest restrictions were considered in 2010, and provided periodic 
updates throughout the process. Since these harvest restrictions were 
first proposed, the NPS stated its intention to initiate rulemaking and 
solicited public comment on these provisions. After the proposed rule 
was published, the NPS provided 121 days for written comment, met with 
and provided information to multiple groups, and held an additional 26 
public hearings across the State, in rural locations near affected 
units as well as Anchorage, Fairbanks, Palmer, and Soldotna.
    3. Comment: Some commenters stated the NPS did not respond to 
comments and questions from the State of Alaska on the temporary 
wildlife harvest restrictions that were included in the proposed rule, 
which might have enabled the State to take action that would make the 
proposed harvest restrictions unnecessary. Commenters also suggested 
the NPS work with the State of Alaska collaboratively to address the 
wildlife harvest issues in this rule.
    NPS Response: The NPS would have preferred a collaborative approach 
with a solution in State law or regulation rather than federal 
regulation. To that end, the NPS has testified before the Board of Game 
many times, requested the Board of Game take specific regulatory action 
to address NPS concerns, met with ADF&G, provided explanations for the 
restrictions in writing, and responded to comments in the annual park 
compendiums. The NPS acknowledges the State requested scientific data 
to support the temporary restrictions on taking black bears, including 
cubs and sows with cubs, with artificial light at den sites, taking 
brown bears over bait, and prohibiting the take of wolves and coyotes 
during the summer months. However, neither the temporary restrictions 
nor this rule are based on particular wildlife population levels, and 
do not require the preparation of such scientific data. The basis of 
the compendium provisions, as well as the rule, is the NPS legal and 
policy framework, which has been communicated verbally and in writing 
several times.

Process for Publishing the Proposed Rule

    4. Comment: Several comments stated that the NPS should give more 
weight to comments on the proposed rule from Alaskans than other 
members of the public. Another comment urged the NPS to increase 
cooperation and dialogue with rural Alaskans. Others expressed concern 
that the NPS is not considering public comments when developing the 
final rule, and did not adequately respond to public comments delivered 
at public meetings.
    NPS Response: The NPS agrees that it will continue to strive to 
increase cooperation and dialogue with rural Alaskans, many of whom 
live near the national preserves and may be affected by this rule. 
After consideration of public comments on the proposed rule, the NPS 
has included a provision in the final rule requiring it hold one or 
more public meetings near the affected NPS unit before implementing any 
non-emergency closure or restriction on the sport take of fish or 
wildlife in national preserves.
    During the comment periods for the proposed rule, the NPS held 26 
public hearings in Alaska in an effort to solicit the opinions and 
comments of Alaskans. The NPS has considered all relevant comments it 
received on the proposed rule, including those from rural Alaskans and 
those delivered at public meetings. The NPS considers each comment 
based upon its substantive content, and does not give greater weight to 
any comment based upon the residence of the commenter. This is also 
consistent with the statutory purpose for establishing the national 
preserves in Alaska for the benefit, use, education, and inspiration of 
present and future generations of all Americans.
    5. Comment: Some comments stated that the NPS did not provide the 
public with sufficient time to review and comment on the proposed rule. 
Other comments felt that the NPS should not be allowed to make changes 
to the proposed rule without allowing the public to review and comment 
on those changes.
    NPS Response: The policy of the U.S. Department of the Interior is 
ordinarily to provide at least 60 days for public comment on any 
proposed rule that is published in the Federal Register. Due to the 
anticipated interest in this rule, the NPS provided an initial comment 
period of 90 days so that the public would have additional time to 
consider the proposal and submit timely comments. After the initial 90-
day comment period expired, the NPS received several requests to reopen 
the comment period to give the public more time to review and prepare 
comments. Acknowledging the interest in this rule, the NPS agreed with 
these requests and reopened the comment period for an additional 31 
days. In total, the NPS provided the public with 121 days to review and 
comment on the proposed rule, and appreciates the thoughtful

[[Page 64332]]

consideration and responses it received. The NPS believes that the 
length of the combined public comment period was adequate and does not 
intend to reopen, for a second time, the public comment period.
    After considering public comments and after additional review, the 
NPS made certain changes to the proposed rule, which are described in 
the section below entitled ``Changes from the Proposed Rule.'' The 
changes are a logical outgrowth of the proposed rule, and were 
reasonably foreseeable by the public when the proposed rule was 
published. For example, the NPS specifically requested comment on 
taking black bears over bait in the proposed rule. This notified the 
public that the proposed rule could change with respect to this issue 
after consideration of public comment. Other changes to the proposed 
rule, such as requiring a public meeting before adopting a closure or 
restriction for taking wildlife, are consistent with the existing 
regulations at 36 CFR 13.50.

Comments on Guiding Laws and Regulations

    6. Comment: Some commenters stated that NPS does not have the 
authority to supersede State wildlife regulations, while others 
requested the NPS clarify its authority to preempt conflicting State 
regulations under the Property and Supremacy Clauses of the 
Constitution.
    NPS Response: Under the Property and Supremacy Clauses of the U.S. 
Constitution, State wildlife laws that conflict with NPS's efforts to 
carry out its statutory mandate are preempted. See, e.g. Kleppe v. New 
Mexico, 426 U.S. 529 (1976); Hunt v. United States, 278 U.S. 96 (1928); 
New Mexico State Game Comm'n v. Udall, 410 F.2d 1197 (10th Cir.), cert. 
denied, New Mexico State Game Comm'n v. Hickel, 396 U.S. 961 (1969); 
United States v. Brown, 552 F.2d 817 (8th Cir. 1977). Certain State-
authorized hunting and trapping practices are not consistent with the 
NPS implementation of the NPS Organic Act and ANILCA. Consequently, the 
final rule is an appropriate exercise of the authority affirmed by the 
cases cited above.
    7. Comment: Several commenters questioned how any take of wildlife 
on national preserve lands is permissible when regulations that may 
``alter the natural predator/prey dynamics, distribution, densities, 
age-class distributions, populations, genetics or behavior of a 
species'' are interpreted as being incompatible with the laws and 
policies of the National Park Service.
    NPS Response: ANILCA provides for harvest of wildlife in national 
preserves. Therefore some level of take is appropriate and compatible 
with the NPS legal and policy framework for Alaska national preserves. 
This rule does not prohibit all State-authorized hunting and trapping. 
The vast majority of State regulations are, and are expected to remain, 
compatible with the NPS management framework. Over the past several 
decades, only a handful of State regulations have been superseded by 
NPS regulations.
    The NPS believes that the standard in the rule is a workable and 
limited standard that satisfies our legal and policy framework and does 
not include all actions that result in the harvest of wildlife. This 
rule provides that the NPS does not adopt State management actions or 
laws or regulations that authorize taking of wildlife, which are 
related to predator reduction efforts, meaning that they have the 
intent or potential to alter or manipulate natural predator-prey 
dynamics and associated natural ecological processes, in order to 
increase harvest of ungulates by humans. The NPS acknowledges that the 
public would benefit from greater clarity as to exactly which State 
laws and regulations are not adopted by the NPS. As a result, the rule 
requires the Regional Director to publish at least annually a list of 
all such laws and regulations not adopted in national preserves.

General Comments

    8. Comment: Some commenters objected to the NPS description that 
some of the harvest practices, such as taking swimming caribou and 
hunting caribou from a motorboat while under power, are ``longstanding 
prohibited.''
    NPS Response: The harvest methods prohibited by this rule stem from 
general hunting and trapping restrictions in State law and regulation, 
some of which have been relaxed in recent years in response to 
proposals to the BOG. Some of these proposals to relax hunting and 
trapping restrictions were adopted in whole or in part to reduce 
predators. Three of these proposals removed longstanding prohibitions 
on harvest methods. In response, the NPS prohibited these methods on a 
temporary basis: (1) Taking any black bear, including cubs and sows 
with cubs, with artificial light at den sites; (2) taking brown bears 
over bait; and (3) taking wolves and coyotes during the summer months. 
This rule makes the temporary restrictions permanent. This rule also 
prohibits some additional practices that the NPS acknowledges were not 
historically prohibited. These practices, however, existed only as 
exceptions to general prohibitions in State law: (1) Taking swimming 
caribou or taking caribou from a motorboat while under power, in GMUs 
23 and 26; (2) black bear baiting; and (3) using dogs to hunt black 
bears. For the reasons explained herein, NPS believes these practices 
should also now be prohibited in national preserves.
    9. Comment: Some comments stated that the hunting methods that 
would be prohibited by the proposed rule were not intended to reduce 
predators but were allowed by the BOG based on requests from the 
Alaskans for additional harvest opportunity or to authorize traditional 
practices. Other comments stated the NPS proposed rule would prefer 
predators over ungulates. Others supported the proposed rule because it 
would prohibit harvest practices designed to reduce predators, which is 
inconsistent with NPS laws.
    NPS Response: The NPS acknowledges many of the harvest practices 
recently authorized by the State were based in whole or in part on 
proposals from Alaskan hunters, some of whom may also be federally-
qualified subsistence users. However, the record shows some of these 
proposals and the decisions to act on them were based wholly or in part 
on a desire to reduce predator populations, and often far in excess of 
any previous authorizations. Before the BOG authorized taking cubs and 
sows with cubs at den sites, it had only allowed this activity as part 
of a predator control program. (Findings of the Alaska Board of Game 
2012-194-BOG, Board of Game Bear Conservation, Harvest, and Management 
Policy, expiration June 30, 2016 (January 18, 2012)). The State's 
decision to expand wolf and coyote seasons was based in part on a 
desire to elevate survival rates of moose and caribou calves.
    As explained in the background section of this rule, NPS management 
policies prohibit the manipulation of wildlife populations, and require 
the NPS to protect natural abundances, distributions, densities, and 
populations of wildlife. This rule does not favor predators over 
ungulates, which would also violate NPS management policies. The rule 
is primarily focused on the take of predators because the allowances 
implemented by the State target predators, not ungulates. Even in these 
circumstances, the rule is consistent with NPS policy to allow for the 
fluctuation of natural populations of all species in national 
preserves, by prohibiting the purposeful decrease of predator 
populations to achieve (or attempt) an increase of ungulate populations 
to benefit hunters.
    10. Comment: One commenter stated the NPS misinterpreted the State

[[Page 64333]]

sustained yield mandate in the proposed rule and requested the NPS 
clarify the State's statutory definition to make it clear the State has 
authority to manage for a variety of beneficial uses of wildlife rather 
than only to support a high level of human harvest of wildlife.
    NPS Response: NPS acknowledges that the State may have broader 
authorities and goals, but in general, interpretation and clarification 
of State law is a matter for the State. This rule ensures that taking 
of wildlife in national preserves is consistent with federal laws and 
NPS policies that require the NPS to manage national preserves for 
natural processes.
    11. Comment: Several commenters directly or indirectly commented on 
State-authorized subsistence harvest of fish and wildlife. Some 
commenters suggested ANILCA authorizes State subsistence separate from 
Title VIII subsistence. Some comments stated the proposed rule 
restricts subsistence uses by Alaska Natives. Some commenters stated 
that federally qualified subsistence users often prefer to harvest 
wildlife under State regulations because the State regulations are more 
liberal than federal subsistence regulations and the Federal 
Subsistence Board regulatory process is cumbersome and takes too long. 
Conversely, some subsistence hunters voiced support for the proposed 
regulations as they do not consider some of the methods prohibited by 
this rule to be traditional or consistent with natural processes and 
population dynamics.
    NPS Response: ANILCA, 16 U.S.C. 3201, states that national 
preserves shall be managed ``in the same manner as a national park . . 
. except that the taking of fish and wildlife for sport purposes and 
subsistence uses, and trapping shall be allowed in a national 
preserve[.]'' Under ANILCA and in this rule, the term ``subsistence'' 
refers only to subsistence activities authorized by Title VIII of 
ANILCA, which must comply with the federal subsistence regulations 
(among other things, they are restricted to rural Alaska residents). 
ANILCA did not authorize any separate State subsistence activities. 
Take of wildlife is authorized in national preserves only to the extent 
it is consistent with either the federal subsistence regulations or 
with regulations applicable to taking of wildlife for ``sport 
purposes.''
    The NPS acknowledges that some rural residents eligible to harvest 
wildlife under federal subsistence regulations in NPS units also 
harvest wildlife under State regulations in national preserves, 
particularly when the State methods, seasons, and bag limits are more 
liberal. To the extent that this harvest does not conflict with NPS 
regulations applicable to sport hunting, these opportunities are 
preserved. Any changes to federal subsistence regulations should be 
proposed to the Federal Subsistence Board.
    12. Comment: Some commenters objected to the use of the term 
``sport hunting'' in the proposed rule as offensive and inaccurate in 
certain cases such as when a federal subsistence user moves out of the 
area and is no longer eligible to harvest under federal subsistence 
regulations.
    NPS Response: The NPS understands that some hunters who harvest 
wildlife under State regulations are not hunting for recreation or 
``sport.'' Sometimes individuals who are harvesting under State 
regulations were once rural residents but are no longer federally 
qualified subsistence users. However, Congress used the term ``sport 
purposes'' in ANILCA and it would be inappropriate for the NPS to allow 
harvest that is neither for ``subsistence purposes'' nor for ``sport 
purposes'' under 16 U.S.C. 3201.
    13. Comment: Some commenters supported the prohibition on the 
methods of take in the proposed rule because they are unsporting or 
unethical; others stated the NPS should not regulate ethics regarding 
wildlife harvest.
    NPS Response: Although the term ``sport'' is not defined in ANILCA, 
each term in a statute is presumed to have meaning. Sportsmanship in 
hunting has more than a hundred years of tradition and meaning in the 
conservation movement in America. See John F. Reiger, American 
Sportsmen and the Origin of Conservation (Winchester Press 1975). When 
methods of harvest go beyond traditionally accepted norms of ``sport'' 
in hunting, they may fall outside of what Congress intended when it 
authorized hunting in statutes like ANILCA. In some such cases, NPS 
believes regulations may be needed to curtail these activities that 
were never intended to occur in units of the National Park System. Such 
situations historically have been rare. Except for the prohibition of 
same-day airborne hunting in 1995, the NPS has not restricted the 
practices authorized by the State through federal rulemaking published 
in the CFR. There has, however, been a departure in recent years by the 
BOG, which has sought to advance the goals of increasing harvested 
species by targeting predators. In order to comply with federal law and 
NPS policy, these recent allowances have been prohibited by the NPS in 
national preserves on a temporary basis through compendium actions, and 
are now permanently prohibited by this rule.
    The NPS also recognizes that some practices that are being 
prohibited for ``sport'' hunters may be appropriate for subsistence 
users. An example of this is taking swimming caribou. On NPS lands, the 
take of swimming caribou for subsistence is allowed in accordance with 
federal subsistence regulations, but it is not appropriate as a 
``sport'' hunting practice on waters within national preserves.
    14. Comment: Some commenters stated the proposed rule would 
prohibit Alaska residents from participating in State subsistence 
fisheries.
    NPS Response: This rule makes no changes to fishing regulations 
other than allowing the use of native species as bait for fishing. 
Fishing in NPS units under federal subsistence regulations must be in 
accordance with 36 CFR 13.470 and 50 CFR part 100. Other noncommercial 
fishing is authorized under 36 CFR 13.40 and in accordance with the 
provisions of 36 CFR 2.3. To the extent it is consistent with those 
regulations, State-authorized subsistence fishing is allowed within NPS 
units.
    15. Comment: Some commenters asserted that NPS does not have 
authority to enact the proposed regulations and that the NPS actions 
are inconsistent with 16 U.S.C. 3114 and 16 U.S.C. 3125(3) of ANILCA.
    NPS Response: This final rule is not promulgated under 16 U.S.C. 
3114, which provides that subsistence take of fish and wildlife has 
priority over other uses when it is necessary to restrict the harvest 
of fish or wildlife to protect the viability of the population or to 
continue subsistence uses. The restrictions in this rule are not 
necessary to protect the viability of a population or to continue Title 
VIII subsistence uses, nor do they affect subsistence uses or priority. 
The NPS is promulgating this rule under the NPS Organic Act and 16 
U.S.C. 3201, which provide NPS with authority to restrict the taking of 
wildlife for sport purposes in national preserves for reasons of public 
safety, administration, floral and faunal protection, or public use and 
enjoyment.
    Similarly, 16 U.S.C. 3125(3) does not apply to this rule. That 
provision provides that ``[n]othing in this title shall be construed as 
. . . authorizing a restriction on the taking of fish and wildlife for 
nonsubsistence uses . . . unless necessary for the conservation of 
healthy populations of fish and wildlife . . . to continue subsistence 
uses of such populations [.]'' The phrase ``this

[[Page 64334]]

title'' refers solely to Title VIII of ANILCA--this section does not 
apply to 16 U.S.C. 3201, which was enacted as part of Title XIII. This 
section thus does not preclude the NPS from authorizing restrictions 
under other titles in ANILCA (such as Title XIII) or other federal laws 
(such as the NPS Organic Act), as is the case here.
    16. Comment: Some commenters stated the NPS should limit hunting to 
traditional harvest methods because current technology could result in 
overharvest. Commenters also stated that resources should be allocated 
to most local users when harvest must be reduced.
    NPS Response: In consultation with the State and the Federal 
Subsistence Board, the NPS will consider restrictions on specific 
harvest practices on a case by case basis. In times of shortage ANILCA, 
16 U.S.C. 3114, provides priority to local subsistence users over 
others.
    17. Comment: Some commenters objected to the statement in the 
proposed rule that management of wildlife on national preserves must 
protect natural processes, because ANILCA calls for ``healthy'' 
populations, not ``natural'' populations.
    NPS Response: Title VIII of ANILCA refers to conserving ``healthy'' 
populations of wildlife on federal public lands in Alaska. ANILCA also 
states that nothing in the statute modifies or repeals any federal law 
governing the conservation or protection of fish and wildlife. The 
statute explicitly identifies the NPS Organic Act as one of those 
federal laws. The NPS Organic Act requires the NPS to conserve the wild 
life in units of the National Park System (including national 
preserves) and to provide for visitor enjoyment of the wild life for 
this and future generations. 54 U.S.C. 100101. Policies implementing 
the NPS Organic Act require the NPS to protect natural ecosystems and 
processes, including the natural abundances, diversities, 
distributions, densities, age-class distributions, populations, 
habitats, genetics, and behaviors of wildlife. NPS Management Policies 
2006 Sec. Sec.  4.1, 4.4.1, 4.4.1.2, 4.4.2. The legislative history of 
ANILCA reflects that Congress did not intend to modify the NPS Organic 
Act in this respect: ``the Committee recognizes that the policies and 
legal authorities of the managing agencies will determine the nature 
and degree of management programs affecting ecological relationships, 
population's dynamics, and manipulations of the components of the 
ecosystem.'' Senate Report 96-413, Committee on Energy and Natural 
Resources at pages 232-233 (hereafter Senate Report 96-413). This is 
reflected in the statutory purposes of various national preserves that 
were established by ANILCA, which include the protection of populations 
of fish and wildlife.
    18. Comment: Some commenters stated the proposed rule includes 
ambiguous terms and gives too much discretion to park superintendents.
    NPS Response: The NPS believes the actions the superintendents are 
authorized to take in the rule are consistent with federal law and are 
comparable to the actions superintendents have long been authorized to 
take in similar circumstances. It also recognizes that superintendents 
are the subject matter experts regarding management of the park unit 
and have been delegated responsibility to take action and respond to 
changing circumstances that may affect the values and resources of a 
park unit.
    19. Comment: Some commenters questioned the basis of the proposed 
rule because the NPS did not cite or provide evidence or data related 
to wildlife population-level effects or any conservation concern.
    NPS Response: As discussed above, the rule is based on the NPS 
legal and policy framework, which among other things ``requires 
implementation of management policies which strive to maintain natural 
abundance, behavior, diversity and ecological integrity of native 
animals as part of their ecosystem . . . .'' Senate Report 96-413, at 
page 171. This rule is not based on particular wildlife population 
levels, and did not require the preparation of data on those levels. 
Rather the rule reflects the NPS responsibility to manage national 
preserves for natural processes, including predator-prey relationships, 
and responds to practices that are intended to alter those processes.
    20. Comment: A couple of commenters asked for clarification about 
the harvest opportunities that would be prohibited by the proposed rule 
on a unit by unit basis.
    NPS Response: The NPS believes the rule clearly describes the 
harvest practices that are prohibited. All but three of these practices 
are already prohibited by either NPS temporary actions or existing 
State law. The only currently allowed harvest practices that will be 
prohibited under this rule are taking caribou that are swimming or 
taking caribou from a motorboat while under power (currently allowed in 
portions of Noatak, Gates of the Arctic, and Bering Land Bridge 
National Preserves), black bear baiting, and using dogs to hunt black 
bears. The NPS will assist the public to understand the impacts of the 
rule on sport harvest of wildlife in national preserves. The public and 
visitors are encouraged to contact or visit the local NPS offices for 
information or assistance.
    21. Comment: One commenter opposed the prohibition on the take of 
muskrats at pushups, adding that this practice has been authorized by 
the State since 1967 and that the practice is not known to have caused 
conservation or user problems.
    NPS Response: The proposed rule would have prohibited the take of 
muskrats at pushups, which is currently authorized under State 
regulations. This was not the NPS's intent, and the final rule has been 
modified to allow for this practice.
    22. Comment: One commenter stated the allowance in the proposed 
rule for using electronic calls to take big game (except moose) should 
be modified to allow electronic calls for all game (except moose).
    NPS Response: The NPS agrees with the suggestion, which is 
consistent with State law. The NPS has modified the rule accordingly.
    23. Comment: Some commenters objected to the practice of trapping 
and snaring generally due to the potential for user conflicts and 
safety concerns due to traps and snares on or near trails. Some 
commenters specifically objected to snaring bears. Some commenters said 
trapping should not be allowed near trails used by others in order to 
protect those visitors and their pets. Some commenters said trappers 
should be required to identify their traps with their name and contact 
information.
    NPS Response: ANILCA generally allows for trapping (including 
snaring) in national preserves. Under this rule and adopted State law, 
there are restrictions on animals that may be trapped under a trapping 
license, types of traps, as well as restrictions on locations where 
traps may be set. Because pets are required to be leashed, traps--even 
those set near trails--have not been a concern historically. In the 
event that trapping presents safety concerns, the NPS will address 
those concerns on a case-by-case basis.
    24. Comment: Commenters suggested there is an inconsistency between 
what is being proposed for NPS lands in Alaska and allowances in some 
Lower 48 parks, including taking coyotes year-round.
    NPS Response: Units of the National Park System are ``united 
through their interrelated purposes and resources into one National 
Park System,'' and managed in a manner ``consistent with and founded in 
the purpose established

[[Page 64335]]

by'' the NPS Organic Act, ``to the common benefit of all the people of 
the United States.'' 54 U.S.C. 100101. But units also are managed 
consistent with their enabling statutes and other laws specifically 
applicable to those units, such as ANILCA. Hunting of any kind is 
generally prohibited in units of the National Park System, 36 CFR 2.2, 
except where specifically authorized by statute, as is the case for 
national preserves in Alaska (as well as subsistence activities in 
other Alaska units). In those units that do allow hunting, hunting 
seasons for particular species generally vary from unit to unit and are 
often set by State law. When NPS sets seasons or other restrictions by 
regulation, it does so case by case, based on the resource and 
management needs of the particular unit.
    25. Comment: Some commenters suggested that the rule should 
prohibit the more subtle means of affecting the natural functioning 
ecosystem, such as hunters not being required to obtain tags or permits 
for predators, same-day airborne hunting and trapping, and sale of raw 
hides and skulls.
    NPS Response: Many of the activities described by the commenter are 
already prohibited under federal regulations. For example, same-day 
airborne hunting of big game animals, arctic fox, red fox, or lynx is 
not allowed on NPS lands. Additionally, sale of raw hides and skulls is 
not allowed under existing NPS regulations. The NPS has not identified 
a need for NPS-issued tags and permits and consequently has not 
required harvest permits and tags beyond those required by State 
regulations and federal subsistence regulations.
    26. Comment: One commenter said that while ungulates will probably 
remain the focus of the State's intensive management program, it is 
conceivable that another species could become the focus in the future 
due to fads or economic interests. The commenter suggested that NPS 
needs the flexibility to include additional species when necessary to 
provide for naturally functioning ecosystems.
    NPS Response: While naturally functioning ecosystems include 
natural diversity and abundances of native wildlife populations, the 
NPS does not believe it is necessary to modify the proposed rule to 
address this concern. Should the issue arise in the future, the NPS 
will work with the State and consider appropriate action at that time.
    27. Comment: One commenter suggested adding ``intercepting'' 
wildlife to the list of prohibited actions that cannot be taken by an 
aircraft, snowmachine, or other motor vehicle. Also, the term 
``positioning'' is used to refer to the practice of using snowmachines 
for lining caribou up for a shot. It should be clarified whether this 
practice is considered ``herding.''
    NPS Response: Paragraph (g)(4) of this rule prohibits using an 
aircraft, snowmachine, off-road vehicle, motorboat, or other motor 
vehicle to harass wildlife, including chasing, driving, herding, 
molesting, or otherwise disturbing wildlife. Using an aircraft, 
snowmachine, or other motor vehicle to ``intercept'' or ``position'' 
wildlife is prohibited by this provision, because the wildlife would be 
(among other things) harassed, chased, driven, herded, molested, or 
otherwise disturbed by the use of the aircraft, snowmachine, or motor 
vehicle. As a result, the NPS does not believe it is necessary to 
revise the proposed rule to specifically prohibit ``intercepting'' or 
``positioning'' wildlife as these activities are already covered by the 
rule.
    28. Comment: Some commenters stated the NPS should also address bag 
limits for certain species, such as wolves.
    NPS Response: The NPS generally believes bag limits are more 
appropriately addressed through the State regulatory process and 
Federal Subsistence Program in conjunction with harvest information and 
population data. Should bag limits become a concern in the future, the 
NPS will work with the State and the Federal Subsistence Board as 
appropriate.
    29. Comment: Some commenters objected to prohibiting the harvest 
methods identified in the proposed rule as unnecessary since they 
duplicate State regulations already in effect or would eliminate 
harvest opportunities for Alaskans.
    NPS Response: The NPS affirms current State prohibitions on harvest 
methods by codifying them as federal law. Should exceptions to these 
State prohibitions be made in the future, the NPS will consider whether 
to adopt the same exceptions for national preserves. The majority of 
existing harvest opportunities provided under State law will still be 
available for hunters in national preserves.

Annual List of Harvest Regulations Not Adopted

    30. Comment: Some commenters objected to the provision in the 
proposed rule requiring the Regional Director to compile an annual list 
of State laws and regulations that are not adopted in national 
preserves because they are aimed at reducing predators. Some comments 
suggested that the NPS hold public hearings and a public comment period 
before the Regional Director places laws and regulations on this list. 
Other commenters stated this provision is inconsistent with ANILCA and 
would give superintendents too much discretionary authority.
    NPS Response: The provision requiring the Regional Director to 
identify State laws and regulations not adopted under paragraph (f) is 
designed to remove any ambiguity about which State-authorized 
activities are prohibited on national preserves. The NPS does not 
believe that a hearing or public comment period is appropriate for the 
annual list because these activities will be prohibited by paragraph 
(f)(2) without any further action by the NPS or the Regional Director. 
The purpose of the list is to inform the public about which laws and 
regulations are not adopted by the NPS so that there is no confusion 
about what is allowed in national preserves. The list is expected to 
change only to the extent the State authorizes new predator reduction 
activities that otherwise would affect national preserves. The overall 
goal of this provision is to maintain the traditional status quo and 
prevent the introduction of new predator reduction activities in 
national preserves.
    ANILCA allows the Secretary of the Interior (acting through the 
NPS) to restrict sport hunting and trapping in national preserves after 
consultation with the State of Alaska, and does not diminish the 
authority of the Secretary of the Interior over the management of 
public lands. See the Background section of this final rule for more 
information about NPS authority to promulgate this rule. The NPS 
believes that compiling and annually updating a list of the activities 
prohibited by paragraph (f) is consistent with the statutory authority 
provided to the NPS for the management of national preserves.

Taking Bears Over Bait

    31. Comment: Some commenters stated that the practice of baiting 
black bears and brown bears is appropriate because it will not have 
adverse ecological or public safety effects. Others commented that 
baiting black bears and brown bears should be prohibited because it may 
create public safety issues, food-conditioned bears, or impact natural 
populations or processes.
    NPS Response: The NPS proposed prohibiting the harvest of brown 
bears over bait to avoid public safety issues, to avoid food 
conditioning bears and other species, and to maintain natural bear 
behavior as required by the NPS legal and policy framework. By design, 
baiting typically uses human or pet food

[[Page 64336]]

to alter the natural behavior of bears to predictably attract them to a 
specific location for harvest. Land and wildlife management agencies 
strive to eliminate the feeding of bears through individual and 
collective educational efforts, due to the increased likelihood that 
food-conditioned bears are killed by agency personnel or the public in 
defense of life or property. Food-conditioned bears are also believed 
more likely to cause human injury. To that end, NPS regulations 
prohibit feeding wildlife and the practice of baiting is at odds with 
this.
    Because the concerns presented by taking brown bears over bait also 
apply to black bear baiting, the NPS requested public comment on 
whether taking black bears over bait should be allowed to continue on 
national preserves. After reviewing public comment, the NPS has decided 
to prohibit taking black bears over bait in national preserves. This 
decision is consistent with State regulations applicable to Denali 
State Park, where taking of wildlife is authorized but taking black 
bears over bait is prohibited (see 2014-2015 Alaska Hunting 
Regulations, p. 27 and 78 and 5 AAC 92.044 for game management units 
where the practice is authorized).
    Bait stations tend to be located in accessible areas due to the 
infrastructure (typically a 55 gallon drum) and quantity (including 
weight) of bait used to engage in this activity and the frequency with 
which the stations must be replenished. Because of the accessibility of 
these areas, they are typically used by multiple user groups, which 
contributes to the public safety concerns associated with baiting. 
Although there are State regulations that prohibit bait stations within 
a certain distance of structures (cabins/residences), roads, and 
trails, these distances lack biological significance relative to bears, 
whose home ranges can include tens to hundreds of square miles.
    32. Comment: Some commenters stated that bear baiting should be 
allowed in national preserves because it is a historical practice that 
predates the establishment of national preserves and it a customary 
practice by many Alaskans. Commenters also stated the practice should 
be allowed because the amount of take is or would be small.
    NPS Response: According to information provided by the State of 
Alaska, harvest of black bears over bait was authorized by State 
regulations in 1982. The creation of all NPS areas in Alaska preceded 
this date. Harvest of bears over the remains of legally-harvested 
animals not required to be salvaged will continue to be lawful provided 
the remains are not moved. To the extent the practice of baiting bears 
is a customary and traditional practice by rural residents, those uses 
may be authorized for Federally qualified rural residents pursuant to 
regulations adopted by the Federal Subsistence Board.
    The NPS recognizes that the number of bears harvested over bait in 
national preserves may not be large. However, this provision is not 
based on how many bears are harvested or whether that harvest would 
impact bear population levels. It is based on the legal and policy 
framework that governs national preserves and calls for maintaining 
natural ecosystems and processes and minimizing safety concerns 
presented by food-conditioned bears.
    33. Comment: One commenter recommended the definition of bait 
exclude legally taken fish and that bait should exclude legally taken 
wildlife that is not required to be salvaged under federal as well as 
State law. A comment was received that game that died of natural causes 
should not be considered bait.
    NPS Response: The NPS has modified the definition of bait in a 
manner that excludes native fish, consistent with State law. Upon 
review, the NPS determined it is not necessary to reference State or 
federal law regarding salvage requirements in the definition of bait. 
The result is that parts of legally taken fish or wildlife that are not 
required to be salvaged are not considered bait if the parts are not 
moved from the kill site. The rule excludes from the definition of bait 
game that died of natural causes, if not moved from the location where 
it was found.

Taking Black Bears With Artificial Light at Den Sites

    34. Comment: Some comments stated that the use of artificial light 
to aid the harvest of black bears in dens should be allowed to ensure 
proper species identification, prevent take of cubs or sows with cubs, 
and facilitate a human shot placement. Others commented that the use of 
artificial light to aid the harvest of black bears in dens should be 
prohibited due to effects on ecological processes and populations and 
the potential for dangerous orphaned cubs.
    NPS Response: Although artificial light may, in some cases, aid the 
harvest of black bears in dens by assisting with species identification 
and shot placement, the NPS does not support authorizing this practice 
for sport hunting in national preserves. For rural subsistence users, 
the NPS believes this matter is more appropriately addressed by the 
Federal Subsistence Board. The final rule maintains the proposed 
prohibition on using artificial light to take wildlife, subject to 
certain exceptions.

Using Dogs To Hunt Black Bears

    35. Comment: In response to a question in the proposed rule, some 
commenters supported the use of unleashed dogs to hunt black bears 
pursuant to a State permit. Some commenters stated that the use of dogs 
to hunt black bears has been allowed since 1970 and is not historically 
illegal. Other commenters opposed the use of dogs to hunt black bears. 
These comments stated that this activity would increase stress and 
trauma for the dogs and bears, reduce bear populations in national 
preserves, disrupt the natural balance of predator-prey dynamics, alter 
bear feeding patterns, harass other wildlife, transmit diseases to 
wildlife, interfere with other sport and subsistence hunters, and be 
dangerous for the dogs and humans in the area (including by driving 
bears into roadways and onto private property). Several comments stated 
that dogs used for hunting roam over large portions of the land, often 
out of the sight and control of their handlers. Some comments stated 
that this activity is unethical, unsportsmanlike, and does not have a 
traditional or cultural basis in Alaska. Other comments stated that 
dogs are often used to ``tree'' bears, which makes it difficult to 
determine the sex of the bear and could result in the killing of 
females with cubs.
    NPS Response: Commenters are correct that using dogs to hunt black 
bears is not ``historically illegal.'' While State of Alaska law 
generally prohibits taking big game with the aid or use of a dog, there 
is an exception for using a dog to take black bears pursuant to a non-
transferable permit issued by the ADF&G. The NPS agrees that this 
practice could have some of the adverse impacts suggested by commenters 
who oppose the practice. The NPS also believes the use of unleashed 
dogs to hunt black bears is one of the practices that is inconsistent 
with the traditional ``sport hunting'' that is authorized by ANILCA, as 
discussed above. The rule generally prohibits taking big game with the 
aid of use of a dog. The proposed rule has been modified to eliminate 
an exception that would have allowed the use of dogs to harvest black 
bears under a State permit.
    36. Comment: Some commenters supported the use of unleashed dogs to 
hunt ``problem animals'' and the use of leashed dogs to hunt wounded 
black bears.

[[Page 64337]]

    NPS Response: There is no allowance in State law to use unleashed 
dogs to hunt ``problem animals.'' Current State law allows use of a 
single, leashed dog in conjunction with tracking and dispatching a 
wounded big game animal, including black bear. The intent of the leash 
requirement is to ensure that native wildlife are not pursued, 
harassed, or killed by unleashed dogs and to prevent any contact 
between native wildlife and domestic dogs. The State-authorized use of 
a single, leashed dog in conjunction with tracking and dispatching a 
wounded big game animal will remain authorized in national preserves. 
The NPS will take appropriate action to protect the safety of park 
visitors and other wildlife from problem animals, such as bears.
    37. Comment: Some commenters supported using sled dogs to travel to 
and from hunting and trapping areas, in search of game, and to haul out 
taken game, but not to chase wildlife.
    NPS Response: Sled dogs are allowed under 16 U.S.C. 3121(b) of 
ANILCA for subsistence uses and under 16 U.S.C. 3170(a) of ANILCA for 
other traditional activities, unless prohibited or restricted on a site 
specific basis. There are currently no prohibitions or restrictions on 
this activity in areas where hunting and trapping are authorized. 
Herding, harassing, hazing, or driving wildlife is prohibited under NPS 
regulations. This includes ``chasing'' wildlife.

Wolves and Coyotes

    38. Comment: Several commenters supported the limitations on taking 
wolves and coyotes in the proposed rule, and suggested additional 
protections such as extending the duration of the no-take period and 
imposing bag limits. These comments were concerned about hunting 
pressure, declining populations, and protecting pregnant females to 
avoid orphaned pups and unsuccessful rearing. Other commenters opposed 
the limitations on taking wolves and coyotes in the proposed rule, and 
suggested additional allowances for taking these species, including 
adoption of the State hunting seasons. Several commenters stated that 
extended hunting seasons for wolves and coyotes allow for a traditional 
form of hunting specifically authorized under the State subsistence 
program, and are not meant to be predator control.
    NPS Response: The rule prohibits taking wolves and coyotes from May 
1 through August 9. These dates reflect previously longstanding State 
harvest seasons that provided harvest opportunities while maintaining 
viable wolf and coyote populations. The rule maintains the decades-old 
management paradigm of State and federal managers, rather than adopting 
recently liberalized State regulations that lengthen the hunting 
seasons. Should wolf or coyote population levels become a concern in 
the future, the NPS will work with the State and consider appropriate 
action at that time.
    39. Comment: Some commenters stated that coyotes are not native to 
Alaska.
    NPS Response: Coyotes are native to North America, and while 
coyotes may not have historically occupied all of their current range, 
their expansion most likely occurred through natural processes. 
Consequently, the NPS manages coyotes in the same manner as other 
native species consistent with NPS Management Policies (Sec. Sec.  4.1, 
4.4.1, 4.4.1.2, 4.4.2).
    40. Comment: A few commenters questioned whether wolf pelts taken 
during the denning season have limited value.
    NPS Response: The NPS understands that some individuals may have 
uses for wolf pelts that are harvested outside the normal trapping 
season. This rule, however, protects wolves during the denning season 
when they are vulnerable. The rule preserves the opportunity to harvest 
wolves when the pelts are thicker for cold winter temperatures. A pelt 
that has begun to shed out for summer is thinner, may become patchy, 
and for these reasons is not generally considered as valuable.

Swimming Caribou

    41. Comment: One commenter stated that the proposed prohibition on 
taking swimming caribou would be difficult to enforce because the 
harvest opportunities are along the river's edge and animals often fall 
in the low spots or the water. Another commenter supported the 
prohibition, noting that there are sufficient opportunities for sport 
hunters to harvest caribou on land.
    NPS Response: NPS agrees that there are adequate opportunities for 
sport hunters to harvest caribou on land. Although there may be a few 
situations where it is difficult to tell whether a caribou was taken 
while swimming, the NPS believes that the prohibition will be 
enforceable. Also, under existing State regulations, this practice is 
limited to waters in GMUs 23 and 26. Noatak, Gates of the Arctic, and 
Bering Land Bridge are the only national preserves within these GMUs. 
To the extent individuals who are not federally qualified subsistence 
users engage in this activity elsewhere (e.g., Onion Portage within 
Kobuk Valley National Park), such use is not authorized under existing 
NPS regulations, which allow only federally qualified subsistence users 
to hunt within certain national parks and monuments in Alaska.
    42. Comment: Several commenters opposed the prohibition on the take 
of swimming caribou, stating that it would prevent those who no longer 
live in rural Alaska from harvesting foods in a traditional manner. 
Commenters stated that former residents would not be allowed to return 
to hunt or to assist elders with hunting in traditional ways. Other 
commenters supported the proposed prohibition of taking caribou while 
swimming, noting that it is unsporting and not consistent with fair 
chase.
    NPS Response: The NPS recognizes that taking caribou while swimming 
is a customary and traditional subsistence practice in some areas of 
the State. The NPS supports continuation of this practice under federal 
subsistence regulations in NPS units. The NPS also agrees with the 
comment that the practice of taking caribou while swimming is not 
consistent with fair chase and thus believes it is not appropriate to 
allow as a sport hunting practice. Although former local residents who 
no longer qualify to hunt under federal subsistence regulations will 
not be able to engage in such subsistence harvests, they may 
participate in other aspects of the traditional practice.

Obstruction of Hunting

    43. Comment: Some commenters opposed the proposed prohibition on 
obstructing hunting activities as unnecessary or providing special 
treatment to hunters. Others questioned the need for the provision 
because it is already in State law.
    NPS Response: In the past, the NPS has received reports of 
individuals actively attempting to obstruct others from hunting. While 
this conduct is prohibited under State law, it is not currently 
prohibited under NPS regulations. Consequently, in the event of a 
violation of this type in a national preserve, only the State could 
take enforcement action. This rule allows the NPS also to take 
enforcement action. This protects the lawful rights of hunters in 
national preserves, but does not afford them special treatment above 
what they are currently entitled to by State law.

Bait for Fishing

    44. Comment: Commenters generally supported using native species as 
bait for fishing. Some commenters suggested the species used should be 
obtained from the waters being fished to avoid introducing a species 
that is native to

[[Page 64338]]

Alaska but not native to a particular watershed.
    NPS Response: The NPS agrees that bait species should be limited to 
those native to Alaska, but does not believe that allowing the use of 
species not native to a particular watershed poses a risk that new 
species will be introduced into that watershed. Existing State and 
federal regulations already prohibit the use of live fish for bait in 
fresh water, and using dead fish or unfertilized eggs removed from a 
harvested fish will not result in the introduction of new species that 
are not native to a particular watershed. In marine waters, existing 
regulations already require that any fish used for bait come from the 
same waters being fished.
    45. Comment: One commenter supported allowing bait for fishing but 
stated the rule is not necessary because State regulations that allow 
bait apply to NPS units.
    NPS Response: Section 13.40(b) provides that fishing must be 
consistent with 36 CFR 2.3. Section 2.3 prohibits the use of live or 
dead minnows or other bait fish, amphibians, nonpreserved fish eggs or 
fish roe as bait for fishing in fresh waters, along with methods other 
than hook and line. Consequently this rule is necessary to allow the 
use of native species of fish or fish eggs as bait for fishing.
    46. Comment: Some commenters supported the intent to allow bait for 
fishing since it is a common practice and commonly allowed in Alaska, 
but said it would create confusion on waters where the State has 
prohibited bait. These commenters also noted the State allows many 
forms of bait that would not be considered native species, such as 
natural or synthetic scents, and natural or processed vegetable matter.
    NPS Response: NPS regulations adopt non-conflicting State 
regulations. Under existing NPS regulations, the use of bait is allowed 
in accordance with State law under 36 CFR 2.3 except for the use of 
fish, amphibians or their eggs. This rule allows the use of native 
fish, amphibians, and their eggs as bait if authorized by the State. If 
the State does not allow the use of these types of bait in waters 
within NPS areas, State law will govern and the use of native fish, 
amphibians, and their eggs as bait will not be allowed.

Updating Federal Subsistence Regulations

    47. Comment: Some commenters opposed removal of regulatory language 
providing for consultation with the State regarding potential closures 
to subsistence harvest of fish and wildlife. A suggestion was made to 
retain the provision adopting non-conflicting State laws for 
subsistence harvest of fish and wildlife. A comment also suggested 
adding several provisions to the subsistence closure procedures in 36 
CFR 13.490, including consultation with various stakeholders, holding 
public hearings in the affected vicinity, and holding hearings in 
coordination with other meetings.
    NPS Response: The existing provision that adopts non-conflicting 
State laws is not necessary due to the assumption by the Federal 
Subsistence Board of regulatory authority over Title VIII subsistence 
harvest of fish and wildlife. Federal subsistence regulations, which 
apply in NPS units where Title VIII subsistence is allowed, include 
regulatory language that adopts non-conflicting State laws. The 
provision in 36 CFR 13.490 is no longer necessary and will be removed 
by this rule.
    Upon review of comments and considering the practices of the 
Federal Subsistence Board, the NPS agrees with the recommendation to 
retain the language providing for consultation with the State prior to 
the NPS implementing closures to subsistence take of fish and wildlife. 
Because harvest is regulated by the Federal Subsistence Board, the NPS 
has modified the proposed rule to also include consultation with the 
Federal Subsistence Board.
    Finally, for consistency with 36 CFR 13.50, which was modified 
based upon comments (addressed below), the rule has been modified to 
specify that public hearings will be held near the affected park unit 
(rather than the ``affected vicinity'') prior to implementing the 
management action in nonemergency situations.

Updating Closure and Restriction Procedures

    48. Comment: Some commenters objected to the changes in 36 CFR 
13.50 as inconsistent with ANILCA or not appropriate for Alaska.
    NPS Response: The changes to 36 CFR 13.50 bring procedures for 
implementing closures and restrictions more in line with procedures 
that apply to the entire National Park System under 36 CFR 1.5, as well 
as procedures used by Alaska State Parks. 11 AAC 12.355. The public 
will benefit from aligning procedures with other NPS units as well as 
Alaska State Parks. This consistency will enable the public to more 
effectively engage managers regarding their uses of the public lands 
and the resources on them.
    While commenters referred generally to the proposed changes as 
being inconsistent with ANILCA, the only provision cited was 16 U.S.C. 
3202. That section contains general savings provisions preserving the 
Secretary's authority to manage public lands and preserving the State's 
non-conflicting authority to manage fish and wildlife on those lands. 
Nothing in that section is specifically relevant to the closure and 
restriction provisions of 36 CFR 13.50; accordingly the NPS finds no 
conflict between ANILCA and these procedural updates.
    49. Comment: Some commenters stated the proposed rule would give 
too much authority to the superintendents to adopt restrictions, 
specifically on taking of fish or wildlife for sport purposes. Some 
commenters stated that closures or restrictions must be based upon 
demonstrated biological considerations (e.g., wildlife population 
data).
    NPS Response: Federal statutes, including ANILCA, provide the NPS 
with substantial discretion in managing units of the National Park 
System. Generally, National Park System regulations need only be 
``necessary or proper for the use and management of System units.'' 54 
U.S.C. 100751. With respect to sport hunting in national preserves in 
Alaska, Congress authorized the NPS to restrict these activities for 
reasons of ``public safety, administration, floral and faunal 
protection, or public use and enjoyment.'' 16 U.S.C. 3201. The NPS thus 
is not required to base its management decisions regarding these 
restrictions only on biological considerations. The rule maintains the 
superintendent's long established authority to make management 
decisions for NPS units based upon a variety of criteria. The NPS plans 
to continue to require review of all proposed closures and restrictions 
at the regional level.
    50. Comment: Some commenters were concerned that the proposed 
changes to 36 CFR 13.50 would limit Alaskans' ability to comment on 
potential closures and restrictions on NPS-managed areas by shortening 
the comment period, soliciting comments from non-residents of Alaska, 
and reducing the number of public meetings.
    NPS Response: While hearings are required in certain circumstances 
(e.g., restricting subsistence harvest of fish or wildlife under Title 
VIII of ANILCA or access authorized under 16 U.S.C. 3170(a)), there is 
no statutory requirement to take public comment on closures or 
restrictions that are not required to be published in the Federal 
Register. The NPS believes, however, that public involvement is an 
important component of managing NPS units.

[[Page 64339]]

Alaskans and all Americans have an important say in how these national 
interest lands are managed. Accordingly, except in emergencies, the 
rule requires an opportunity for public comment, including holding at 
least one public meeting near the affected NPS unit, prior to adopting 
a closure or restriction related to taking fish or wildlife. The 
changes to Sec.  13.50 will not limit any existing opportunities, 
including public meetings, for Alaskan residents to comment on proposed 
closures and restrictions for NPS units in Alaska. The NPS posts online 
proposed closures and restrictions for NPS units in Alaska and invites 
public comment on them. The NPS intends to continue this practice.
    51. Comment: Some commenters objected to removing the requirement 
that the NPS hold a hearing before implementing closures or 
restrictions on taking of fish and wildlife for sport purposes. Some 
were concerned that the NPS would cease meeting with local communities 
or that the change would give superintendents too much discretion to 
decide whether to meet with local communities. Some commenters stated 
the NPS should not consider the time or expense to the government or 
anticipated number of attendees in determining whether to hold public 
hearings.
    NPS Response: The proposed rule would have replaced the existing 
regulatory requirement to hold a hearing in the affected vicinity with 
a requirement to provide an opportunity for public comment, which could 
include a written comment period, public meeting, public hearing, or a 
combination thereof. After reviewing comments and considering the 
similar procedures used by the BOG and the Federal Subsistence Board, 
the NPS modified the proposed rule to add a requirement to hold one or 
more public meetings near the affected park unit prior to implementing 
a closure or restriction on taking fish and wildlife in national 
preserves, except in the case of emergencies. The NPS will attempt to 
hold public meetings in conjunction with other events, like Subsistence 
Resource Commission meetings, when possible. The NPS will consider 
holding more than one public meeting depending the nature of the 
action, local interest, and other opportunities for engagement. The 
rule will also require the NPS to continue the current practice of 
providing an opportunity for public comment prior to implementing 
proposed closures and restrictions related to taking fish and wildlife. 
The NPS intends to continue its current practice of accepting written 
comments submitted electronically or by mail or hand delivery. This 
will give Alaskans and other Americans an opportunity to provide 
meaningful input on these management actions.
    52. Comment: Some comments suggested the NPS provide public notice 
and hold a hearing prior to adopting emergency closures relating to 
fish and wildlife.
    NPS Response: Although the NPS supports providing the public with a 
meaningful opportunity to comment, in certain circumstances action may 
be necessary to protect wildlife or public safety before there is an 
opportunity for public comment or a hearing. The NPS will provide 
appropriate notice of emergency closures and restrictions in accordance 
with the provisions of 36 CFR 13.50.
    53. Comment: Some commenters stated the proposed rule would 
eliminate a requirement to do written determinations stating the basis 
for closures, restrictions, and other designations.
    NPS Response: Although the procedures in 36 CFR 1.5(c) require a 
written determination of need explaining the reasons for closures or 
restrictions on public use, the current procedures in Sec.  13.50 do 
not. The NPS however, has provided such determinations for all proposed 
closures and restrictions in NPS units in Alaska to better inform the 
public about the reasons for its decisions. This comment highlights the 
complexity regarding the various procedural regulations that currently 
apply to NPS units in Alaska. The NPS believes it is in the public's 
interest to streamline procedures as much as possible in order to make 
them more consistent. This will make it easier for the public to be 
involved in NPS decision-making in Alaska. Accordingly, the NPS has 
decided to apply the procedures of 36 CFR 13.50, as revised in this 
rule, to all closures and restrictions in NPS units in Alaska unless a 
more specific regulation in part 13 provides otherwise (i.e., 36 CFR 
13.490 pertaining to closures to subsistence harvest of fish and 
wildlife). These revised procedures that apply to all NPS units in 
Alaska require a written determination explaining the basis of the 
restriction.
    54. Comment: Some commenters objected to utilizing web-based tools 
for information sharing and taking public comment since not all 
Alaskans have reliable internet. Other commenters objected to using the 
internet because it is easier for individuals outside Alaska to provide 
input. Some commenters interpreted the proposed rule to imply that the 
NPS will engage the public using social media exclusively.
    NPS Response: The NPS acknowledges that some individuals, 
especially in rural Alaska, may not have reliable internet access or 
may prefer other methods of communicating with the NPS. The methods of 
providing notice in the rule are consistent with NPS practices in place 
in Alaska for more than a decade. The primary method of notifying the 
public of closures or restrictions has been posting notice online and 
disseminating press releases by email. It has been the practice for the 
NPS to invite public comment through electronic means as well as by 
mail or hand delivery. The majority of public comments are received 
electronically. The NPS will continue to accept written comments 
through electronic and traditional means (mail or hand delivery). The 
NPS will also use other notification procedures such as posting in 
local post offices and other public places when practical. Individuals 
may also request copies of the park compendium and other NPS documents 
by mail or in person. Social media is a valuable tool to inform as well 
as engage a certain segment of the public, but it is not, and will not 
be, the only way the NPS engages and communicates with the public. The 
NPS believes that using the internet will make it easier for some 
segments of the American public, regardless of residency, to provide 
input on proposed management actions for NPS units in Alaska. This is 
appropriate because National Park System units are federal lands that 
are protected and preserved for all Americans.
    55. Comment: Some commenters suggested that the proposed rule 
should provide opening procedures.
    NPS Response: The procedures in the rule apply to the termination 
and relaxation of closures and restrictions, which includes actions 
that open areas and allow activities that had been closed or 
restricted.
    56. Comment: Some commenters suggested retaining the distinction 
between permanent and temporary restrictions. These commenters 
recommend temporary restrictions be limited to 12 months and rulemaking 
be required for all permanent restrictions or those restrictions in 
place longer than 12 months. Other comments stated the existing 30-day 
limitation on emergency closures should be retained with no extensions.
    NPS Response: The categories distinguishing permanent and temporary 
closures or restrictions have been problematic and difficult to 
implement, as noted by the State and

[[Page 64340]]

others during the annual compendium review process on several 
occasions. Under current regulations, closures or restrictions in place 
for more than 12 months must be implemented by rulemaking and cannot be 
extended, regardless of significance or public interest. The result of 
this structure is that the NPS must repropose and reissue temporary 
closures or restrictions each year, even in circumstances where there 
is little public interest in the action, or where the action is an 
insignificant management decision. The existing framework is overly 
rigid and complicated, and unnecessarily compromises the NPS's ability 
to protect resources and provide for public use and enjoyment. The NPS 
has determined that the criteria-based rulemaking structure that exists 
in the nationwide NPS regulations (and is mirrored by Alaska State 
Parks) provides a better framework. A criteria-based framework requires 
notice and comment rulemaking based on the impact the closure or 
restriction will have on the values, resources, and visitors of the 
park unit. This framework allows the superintendent to implement 
closures or restrictions that do not significantly impact values, 
resources, or visitor use without needing to publish a rule in the 
Federal Register or propose the same action again every year. For 
example, a prohibition on smoking near fuel storage tanks would not 
necessarily require a rulemaking, but closing an area to all sport 
harvest on a permanent basis would. The criteria-based framework allows 
managers to be more flexible and adapt to changing circumstances. The 
improved consistency with other NPS units and Alaska State Parks will 
also make it easier for the public to be involved in decision-making 
regarding the use of public lands in Alaska.
    With regard to the duration of emergency closures, the NPS rule is 
more consistent with the practice of other agencies and NPS regulations 
that apply outside of Alaska. The existing regulations limit emergency 
closures to 30 days without extension. Federal subsistence regulations 
regarding subsistence harvest of fish and wildlife provide for 
emergency closures of up to 60 days and allow for extensions. National 
Park System-wide regulations and Alaska State Parks regulations do not 
provide a time limit on emergency closures. 36 CFR 1.5, 11 AAC 12.355. 
With respect to restrictions on taking fish and wildlife for sport 
purposes in national preserves, the NPS adopts the 60-day timeframe and 
allows for extensions--after consultation with the State and public 
comment (including a public meeting)--if the emergency persists. The 
NPS believes the public will benefit from this consistency with respect 
to emergency closures or restrictions on taking of fish or wildlife. 
Other emergency actions will have no explicit expiration date and may 
exist until the emergency is resolved. This is consistent with 
regulations for NPS units located outside of Alaska and for Alaska 
State Parks.
    57. Comment: Some commenters stated the NPS should retain the 
provision requiring consultation with the State and with 
``representatives of affected user groups'' prior to adopting 
restrictions on the take of wildlife for sport purposes, including 
Subsistence Resource Commissions, federal subsistence regional advisory 
councils, local fish and game advisory committees, tribes, and others. 
Some commenters also stated the NPS must implement the recommendations 
of Subsistence Resources Commissions unless the criteria of 16 U.S.C. 
3118(b) apply.
    NPS Response: 16 U.S.C. 3201 requires the NPS to consult with the 
State prior to prescribing restrictions relating to hunting, fishing, 
or trapping in national preserves. The rule does not eliminate that 
statutory requirement; it has moved this requirement into Sec.  13.50 
because it relates to closures and restrictions. The rule also requires 
the NPS to provide an opportunity for public comment, including one or 
more public meetings near the affected national preserve prior to 
implementing a closure or restriction on taking fish or wildlife. This 
will provide representatives of affected user groups an opportunity to 
provide comments to the NPS prior to the action being implemented. User 
groups are invited and encouraged to provide input on all such proposed 
actions.
    The NPS agrees that input from advisory groups, NPS Subsistence 
Resource Commissions, and others is important and valuable and the NPS 
encourages these groups to engage with the park superintendents on 
topics of interest. The NPS, however, does not agree that the 
provisions of 16 U.S.C. 3118(b) apply as broadly as suggested. Under 16 
U.S.C. 3118, Subsistence Resource Commissions are established for areas 
designated as national parks and monuments (not national preserves) to 
provide subsistence hunting program recommendations. ANILCA further 
provides that a subsistence hunting program recommendation for national 
parks and monuments must be implemented unless it ``violates recognized 
principles of wildlife conservation, threatens the conservation of 
healthy population of wildlife . . . is contrary to the purposes for 
which the park or park monument is established, or would be detrimental 
to the satisfaction of subsistence needs of local residents.'' While 
Subsistence Resource Commissions provide valuable input on multiple 
topics that affect national parks, monuments, and national preserves, 
the Subsistence Resource Commission's statutory charge is specific to 
Title VIII subsistence hunting program recommendations in national 
parks and monuments. This rule does not restrict Title VIII subsistence 
and applies only to sport harvest on national preserves. Therefore 16 
U.S.C. 3118(b) does not apply.
    58. Comment: Some commenters stated that the factors in the rule 
that must be considered by superintendents prior to adopting a closure 
or restriction are ambiguous and give too much discretion to park 
superintendents. Other commenters suggested adding factors, including 
``natural,'' ``natural and healthy,'' ``healthy,'' and ``species of 
concern,'' to those in the proposed rule. Other commenters suggested 
retaining the reference to emergencies.
    NPS Response: The factors that must be considered by 
superintendents place appropriate guidelines around their authority to 
manage NPS units in Alaska. The discretionary authority granted to 
superintendents recognizes that they are subject matter experts 
regarding management of the park unit and allows them to take action 
and respond to changing circumstances in the unit.
    Under the existing regulations, the superintendent must consider 
factors including public health and safety, resource protection, 
protection of cultural or scientific values, subsistence uses, 
conservation of endangered or threatened species, and other management 
considerations in determining whether to adopt closures or restrictions 
on an emergency basis. These factors appear elsewhere in 36 CFR part 13 
(e.g., 36 CFR 13.460(b) and 13.485(c)). The NPS proposed to modify this 
section by requiring the superintendent to consider these factors for 
all closures and restrictions (not just emergencies), and adding the 
criteria of ``naturally functioning ecosystems'' based on NPS 
Management Policies 2006, which implement the NPS Organic Act.
    In the final rule, the NPS has decided that adding a requirement 
that the superintendent consider protecting ``naturally functioning 
ecosystems'' is unnecessary because this consideration is encompassed 
by the existing

[[Page 64341]]

requirement that the superintendent consider ``resource protection.'' 
The NPS considered adding the terms ``natural,'' ``natural and 
healthy,'' ``healthy,'' and ``species of concern,'' but determined such 
terms are not necessary because they are a part of ``resource 
protection'' or in some cases ``conservation of endangered or 
threatened species.''

Changes From the Proposed Rule

    After taking the public comments into consideration and after 
additional review, the NPS made the following substantive changes in 
the final rule:

 
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Sec.   13.1............................  Added an exception to the
                                          definition of ``bait'' for
                                          legally taken fish not
                                          required to be salvaged if not
                                          moved from the kill site. This
                                          change is consistent with
                                          State law and would exclude
                                          this practice from the
                                          prohibition on using bait in
                                          the rule. The term ``game''
                                          was changed to ``wildlife''
                                          for consistency with NPS
                                          terminology.
Sec.   13.42(g)........................  Delayed implementation of the
                                          prohibited methods of taking
                                          wildlife until January 1,
                                          2016.
Sec.   13.42(g)(8).....................  Added an allowance for using
                                          electronic calls to take all
                                          game animals (not limited to
                                          big game animals) except for
                                          moose.
Sec.   13.42(g)(10)....................  Removed an exception that would
                                          have allowed the taking black
                                          bears over bait, which is now
                                          prohibited.
Sec.   13.42(g)(11)....................  Removed an exception that would
                                          have allowed the use of dogs
                                          to take black bears under a
                                          State permit.
Sec.   13.42(g)(14)....................  Added an exception to the
                                          prohibition on taking a fur
                                          animal by disturbing or
                                          destroying a den to allow
                                          taking muskrats at pushups or
                                          feeding houses.
Sec.   13.42(e)........................  Modified an existing
                                          requirement that individuals
                                          transporting wildlife through
                                          park areas must identify
                                          themselves and the location
                                          where the wildlife was taken
                                          to any NPS personnel. This
                                          information must now only be
                                          given to NPS law enforcement
                                          personnel. This type of
                                          information is relevant for
                                          law enforcement purposes and
                                          accordingly, the
                                          identification requirement
                                          should be limited to law
                                          enforcement officers.
Sec.   13.50(a)........................  Modified to reflect the
                                          applicability of Sec.   13.50
                                          to all NPS closures and
                                          restrictions in Alaska unless
                                          more specific procedures in
                                          part 13 apply.
Sec.   13.50(b)........................  Changed the title from
                                          ``criteria'' to ``factors''
                                          because the regulatory text
                                          refers to the considerations
                                          as ``factors.'' Removed
                                          ``protecting the integrity of
                                          naturally functioning
                                          ecosystems'' as factor that
                                          must be considered by the
                                          superintendent in determining
                                          whether to close an area or
                                          restrict an activity.
Sec.   13.50(c)........................  Change the title from
                                          ``duration'' to ``rulemaking
                                          requirements'' to accurately
                                          reflect the content of the
                                          subsection. Removed the
                                          provision limiting all
                                          emergency closures and
                                          restrictions to 60 days.
Sec.   13.50(d)........................  Added a provision requiring
                                          written explanation of the
                                          reasons for implementing,
                                          relaxing, or terminating a
                                          closure or restriction, except
                                          in emergencies.
Sec.   13.50(e)........................  Prior to implementing
                                          nonemergency closures or
                                          restrictions on taking fish or
                                          wildlife, added a requirement
                                          to hold one or more public
                                          meetings near the affected NPS
                                          unit. Added a 60-day time
                                          limit for emergency closures
                                          or restrictions on taking fish
                                          or wildlife with extensions
                                          only upon consultation with
                                          the State and public comment,
                                          including a meeting near the
                                          affected NPS unit.
Sec.   13.50(f)........................  Closures or restrictions will
                                          be ``posted on the NPS
                                          website'' rather than
                                          ``effective upon publication
                                          on the NPS website.'' This
                                          change reflects that the NPS
                                          may post closures or
                                          restrictions on the NPS
                                          website prior to them taking
                                          effect. Also added a
                                          requirement to compile a
                                          written list, updated
                                          annually, of closures and
                                          restrictions which is posted
                                          on the NPS website.
Sec.   13.50...........................  Removed existing regulations on
                                          ``Openings'' and ``Facility
                                          closures and restrictions''
                                          because they are redundant
                                          with the revisions to this
                                          section.
Sec.   13.50(g)........................  Shortened for clarity and
                                          brevity.
Sec.   13.490..........................  Added a requirement to consult
                                          with the State and the Federal
                                          Subsistence Board before
                                          temporary restrictions on
                                          taking fish or wildlife for
                                          subsistence uses under Title
                                          VIII of ANILCA. Updated the
                                          language regarding location of
                                          hearings to near the
                                          ``affected NPS unit'' for
                                          consistency with the changes
                                          in Sec.   13.50.
------------------------------------------------------------------------

Compliance With Other Laws, Executive Orders, and Department Policy

Regulatory Planning and Review (Executive Order 12866)

    Executive Order 12866 provides that the Office of Information and 
Regulatory Affairs (OIRA) in the Office of Management and Budget will 
review all significant rules. OIRA has determined that this rule is not 
significant.
    Executive Order 13563 reaffirms the principles of Executive Order 
12866 while calling for improvements in the nation's regulatory system 
to promote predictability, to reduce uncertainty, and to use the best, 
most innovative, and least burdensome tools for achieving regulatory 
ends. The executive order directs agencies to consider regulatory 
approaches that reduce burdens and maintain flexibility and freedom of 
choice for the public where these approaches are relevant, feasible, 
and consistent with regulatory objectives. Executive Order 13563 
emphasizes further that regulations must be based on the best available 
science and that the rulemaking process must allow for public 
participation and an open exchange of ideas. We have developed this 
rule in a manner consistent with these requirements.

[[Page 64342]]

Regulatory Flexibility Act

    This rule will not have a significant economic effect on a 
substantial number of small entities under the Regulatory Flexibility 
Act (5 U.S.C. 601 et seq.). This certification is based on the cost-
benefit and regulatory flexibility analyses found in the report 
entitled ``Cost-Benefit and Regulatory Flexibility Analyses: Proposed 
Revisions to Wildlife Harvest Regulations in National Park System 
Alaska Region'' which can be viewed online at http://parkplanning.nps.gov/akro, by clicking the link entitled ``Amend 
Hunting and Trapping Regulations in National Preserves In Alaska'' and 
then clicking the link entitled ``Document List.''

Small Business Regulatory Enforcement Fairness Act (SBREFA)

    This rule is not a major rule under 5 U.S.C. 804(2), the SBREFA. 
This rule:
    a. Does not have an annual effect on the economy of $100 million or 
more.
    b. Will not cause a major increase in costs or prices for 
consumers, individual industries, federal, state, or local government 
agencies, or geographic regions
    c. Does not have significant adverse effects on competition, 
employment, investment, productivity, innovation, or the ability of 
U.S. based enterprises to compete with foreign-based enterprises.

Unfunded Mandates Reform Act

    This rule does not impose an unfunded mandate on state, local, or 
tribal governments or the private sector of more than $100 million per 
year. The rule does not have a significant or unique effect on state, 
local or tribal governments or the private sector. A statement 
containing the information required by the Unfunded Mandates Reform Act 
(2 U.S.C. 1531 et seq.) is not required.

Takings (Executive Order 12630)

    This rule does not effect a taking of private property or otherwise 
have taking implications under Executive Order 12630. A takings 
implication assessment is not required.

Federalism (Executive Order 13132)

    Under the criteria in section 1 of Executive Order 13132, this rule 
does not have sufficient federalism implications to warrant the 
preparation of a Federalism summary impact statement. The rule's effect 
is limited to federal lands managed by the NPS in Alaska and it will 
not have a substantial direct effect on state and local government in 
Alaska. A Federalism summary impact statement is not required.

Civil Justice Reform (Executive Order 12988)

    This rule complies with the requirements of Executive Order 12988. 
Specifically, this rule:
    (a) Meets the criteria of section 3(a) requiring that all 
regulations be reviewed to eliminate errors and ambiguity and be 
written to minimize litigation; and
    (b) Meets the criteria of section 3(b)(2) requiring that all 
regulations be written in clear language and contain clear legal 
standards.

Consultation with Indian Tribes (E.O. 13175 and Department policy) and 
ANCSA Native Corporations

    The Department of the Interior strives to strengthen its 
government-to-government relationship with Indian Tribes through a 
commitment to consultation with Indian Tribes and recognition of their 
right to self-governance and tribal sovereignty. We have evaluated this 
rule under the criteria in Executive Order 13175 and under the 
Department's tribal consultation and Alaska Native Claims Settlement 
Act (ANCSA) Native Corporation policies and have determined that tribal 
consultation is not required because the rule will have no substantial 
direct effect on federally recognized Indian tribes. While the NPS has 
determined the rule will have no substantial direct effect on federally 
recognized Indian tribes or ANCSA Native Corporation lands, water 
areas, or resources, the NPS consulted with Alaska Native tribes and 
Alaska Native Corporations on the proposed rule, as discussed above.

Paperwork Reduction Act (44 U.S.C. 3501 et seq.)

    This rule does not contain information collection requirements, and 
a submission to the Office of Management and Budget under the Paperwork 
Reduction Act is not required. We may not conduct or sponsor and you 
are not required to respond to a collection of information unless it 
displays a currently valid OMB control number.

National Environmental Policy Act

    The NPS has analyzed this rule in accordance with the criteria of 
the National Environmental Policy Act (NEPA) and 516 DM. We prepared an 
environmental assessment entitled ``Wildlife Harvest On National Park 
System Preserves In Alaska'' (EA) to determine whether this rule will 
have a significant impact on the quality of the human environment. This 
rule does not constitute a major Federal action significantly affecting 
the quality of the human environment, and an environmental impact 
statement is not required, because we reached a Finding of No 
Signficant Impact (FONSI). The EA and FONSI are available online at 
http://www.parkplanning.nps.gov/akro, by clicking on the link entitled 
``Amend Hunting and Trapping Regulations in National Preserves In 
Alaska'' and then clicking on the link entitled ``Document List.''

Effects on the Energy Supply (Executive Order 13211)

    This rule is not a significant energy action under the definition 
in Executive Order 13211. A Statement of Energy Effects is not 
required.

Drafting Information

    The primary authors of this regulation are Jay Calhoun, Regulations 
Program Specialist, National Park Service, Division of Jurisdiction, 
Regulations, and Special Park Uses; Philip Hooge, Denali National Park 
and Preserve; Barbara Cellarius, Wrangell-St. Elias National Park and 
Preserve; and Guy Adema, Debora Cooper, Joel Hard, Grant Hilderbrand, 
Brooke Merrell, Bud Rice, and Andee Sears of the Alaska Regional 
Office, National Park Service.

List of Subjects in 36 CFR Part 13

    Alaska, National Parks, Reporting and recordkeeping requirements.

    In consideration of the foregoing, the National Park Service amends 
36 CFR part 13 as set forth below:

PART 13--NATIONAL PARK SYSTEM UNITS IN ALASKA

0
1. The authority citation for part 13 continues to read as follows:

    Authority:  16 U.S.C. 3124; 54 U.S.C. 100101, 100751, 320102; 
Sec. 13.1204 also issued under Sec. 1035, Pub. L. 104-333, 110 Stat. 
4240.


0
2. In Sec.  13.1, add in alphabetical order the terms ``Bait'', ``Big 
game'', ``Cub bear'', ``Fur animal'', ``Furbearer'', and ``Trapping'' 
to read as follows:


Sec.  13.1  Definitions.

* * * * *
    Bait means, for purposes of taking wildlife other than fish, any 
material used to attract wildlife by sense of smell or taste except:
    (1) Parts of legally taken wildlife or fish that are not required 
to be salvaged if the parts are not moved from the kill site; or
    (2) Wildlife or fish that died of natural causes, if not moved from 
the location where it was found.

[[Page 64343]]

    Big game means black bear, brown bear, bison, caribou, Sitka black-
tailed deer, elk, mountain goat, moose, muskox, Dall's sheep, wolf, and 
wolverine.
* * * * *
    Cub bear means a brown (grizzly) bear in its first or second year 
of life, or a black bear (including the cinnamon and blue phases) in 
its first year of life.
* * * * *
    Fur animal means a classification of animals subject to taking with 
a hunting license, consisting of beaver, coyote, arctic fox, red fox, 
lynx, flying squirrel, ground squirrel, or red squirrel that have not 
been domestically raised.
    Furbearer means a beaver, coyote, arctic fox, red fox, lynx, 
marten, mink, least weasel, short-tailed weasel, muskrat, land otter, 
red squirrel, flying squirrel, ground squirrel, Alaskan marmot, hoary 
marmot, woodchuck, wolf and wolverine.
* * * * *
    Trapping means taking furbearers under a trapping license.
* * * * *

0
3. In Sec.  13.40, revise the section heading and paragraphs (d) and 
(e) to read as follows:


Sec.  13.40  Taking of fish.

* * * * *
    (d) Use of native species as bait. Use of species native to Alaska 
as bait for fishing is allowed in accordance with non-conflicting State 
law and regulations.
    (e) Closures and restrictions. The Superintendent may prohibit or 
restrict the non-subsistence taking of fish in accordance with the 
provisions of Sec.  13.50.

0
4. Add Sec.  13.42 to read as follows:


Sec.  13.42  Taking of wildlife in national preserves.

    (a) Hunting and trapping are allowed in national preserves in 
accordance with applicable Federal and non-conflicting State law and 
regulation.
    (b) Violating a provision of either Federal or non-conflicting 
State law or regulation is prohibited.
    (c) Engaging in trapping activities as the employee of another 
person is prohibited.
    (d) It shall be unlawful for a person having been airborne to use a 
firearm or any other weapon to take or assist in taking any species of 
bear, caribou, Sitka black-tailed deer, elk, coyote, arctic and red 
fox, mountain goat, moose, Dall sheep, lynx, bison, musk ox, wolf and 
wolverine until after 3 a.m. on the day following the day in which the 
flying occurred. This prohibition does not apply to flights on 
regularly scheduled commercial airlines between regularly maintained 
public airports.
    (e) Persons transporting wildlife through park areas must identify 
themselves and the location where the wildlife was taken when requested 
by NPS law enforcement personnel.
    (f) State of Alaska management actions or laws or regulations that 
authorize taking of wildlife are not adopted in park areas if they are 
related to predator reduction efforts. Predator reduction efforts are 
those with the intent or potential to alter or manipulate natural 
predator-prey dynamics and associated natural ecological processes, in 
order to increase harvest of ungulates by humans.
    (1) The Regional Director will compile a list updated at least 
annually of State laws and regulations not adopted under this paragraph 
(f).
    (2) Taking of wildlife, hunting or trapping activities, or 
management actions identified in this paragraph (f) are prohibited. 
Notice of activities prohibited under this paragraph (f)(2) will be 
provided in accordance with Sec.  13.50(f).
    (g) This paragraph applies to the taking of wildlife in park areas 
administered as national preserves except for subsistence uses by local 
rural residents pursuant to applicable Federal law and regulation. As 
of January 1, 2016, the following are prohibited:

------------------------------------------------------------------------
            Prohibited acts                      Any exceptions?
------------------------------------------------------------------------
(1) Shooting from, on, or across a park  None.
 road or highway.
(2) Using any poison or other substance  None.
 that kills or temporarily
 incapacitates wildlife.
(3) Taking wildlife from an aircraft,    If the motor has been
 off-road vehicle, motorboat, motor       completely shut off and
 vehicle, or snowmachine.                 progress from the motor's
                                          power has ceased.
(4) Using an aircraft, snowmachine, off- None.
 road vehicle, motorboat, or other
 motor vehicle to harass wildlife,
 including chasing, driving, herding,
 molesting, or otherwise disturbing
 wildlife.
(5) Taking big game while the animal is  None.
 swimming.
(6) Using a machine gun, a set gun, or   None.
 a shotgun larger than 10 gauge.
(7) Using the aid of a pit, fire,        Killer style traps with an
 artificial salt lick, explosive,         inside jaw spread less than 13
 expanding gas arrow, bomb, smoke,        inches may be used for
 chemical, or a conventional steel trap   trapping, except to take any
 with an inside jaw spread over nine      species of bear or ungulate.
 inches.
(8) Using any electronic device to       (i) Rangefinders may be used.
 take, harass, chase, drive, herd, or    (ii) Electronic calls may be
 molest wildlife, including but not       used for game animals except
 limited to: artificial light; laser      moose.
 sights; electronically enhanced night   (iii) Artificial light may be
 vision scope; any device that has been   used for the purpose of taking
 airborne, controlled remotely, and       furbearers under a trapping
 used to spot or locate game with the     license during an open season
 use of a camera, video, or other         from Nov. 1 through March 31
 sensing device; radio or satellite       where authorized by the State.
 communication; cellular or satellite    (iv) Artificial light may be
 telephone; or motion detector.           used by a tracking dog handler
                                          with one leashed dog to aid in
                                          tracking and dispatching a
                                          wounded big game animal.
                                         (v) Electronic devices approved
                                          in writing by the Regional
                                          Director.
(9) Using snares, nets, or traps to      None.
 take any species of bear or ungulate.
(10) Using bait........................  Using bait to trap furbearers.
(11) Taking big game with the aid or     Leashed dog for tracking
 use of a dog.                            wounded big game.
(12) Taking wolves and coyotes from May  None.
 1 through August 9.
(13) Taking cub bears or female bears    None.
 with cubs.
(14) Taking a fur animal or furbearer    Muskrat pushups or feeding
 by disturbing or destroying a den.       houses.
------------------------------------------------------------------------


[[Page 64344]]

    (h) The Superintendent may prohibit or restrict the non-subsistence 
taking of wildlife in accordance with the provisions of Sec.  13.50.
    (i) A person may not intentionally obstruct or hinder another 
person's lawful hunting or trapping by:
    (1) Placing oneself in a location in which human presence may alter 
the behavior of the game that another person is attempting to take or 
the imminent feasibility of taking game by another person; or
    (2) Creating a visual, aural, olfactory, or physical stimulus in 
order to alter the behavior of the game that another person is 
attempting to take.

0
5. Revise Sec.  13.50 to read as follows:


Sec.  13.50  Closure and restriction procedures.

    (a) Applicability and authority. The Superintendent will follow the 
provisions of this section to close an area or restrict an activity, or 
terminate or relax a closure or restriction, in NPS areas in Alaska.
    (b) Factors. In determining whether to close an area or restrict an 
activity, or whether to terminate or relax a closure or restriction, 
the Superintendent must ensure that the activity or area is managed in 
a manner compatible with the purposes for which the park area was 
established. The Superintendent's decision under this paragraph must 
therefore be guided by factors such as public health and safety, 
resource protection, protection of cultural or scientific values, 
subsistence uses, conservation of endangered or threatened species, and 
other management considerations.
    (c) Rulemaking requirements. This paragraph applies only to a 
closure or restriction, or the termination or relaxation of such, which 
is of a nature, magnitude and duration that will result in a 
significant alteration in the public use pattern of the area; adversely 
affect the area's natural, aesthetic, scenic, or cultural values; or 
require a long-term modification in the resource management objectives 
of the area. Except in emergency situations, the closure or 
restriction, or the termination or relaxation of such, must be 
published as a rulemaking in the Federal Register.
    (d) Written determination. Except in emergency situations, prior to 
implementing or terminating a closure or restriction, the 
superintendent shall prepare a written determination justifying the 
action. That determination shall set forth the reasons the closure or 
restriction authorized by paragraph (a) of this section has been 
established. This determination will be posted on the NPS Web site at 
www.nps.gov.
    (e) Restrictions on taking fish or wildlife. (1) Except in 
emergencies, the NPS will consult with the State agency having 
responsibility over fishing, hunting, or trapping and provide an 
opportunity for public comment, including one or more public meetings 
near the affected NPS unit, prior to implementing a closure or 
restriction on taking fish or wildlife.
    (2) Emergency closures or restrictions may not exceed a period of 
60 days and may not be extended without following the nonemergency 
procedures of this section.
    (f) Notice. A list of closures and restrictions will be compiled in 
writing and updated annually. The list will be posted on the NPS Web 
site at www.nps.gov and made available at park headquarters. Additional 
means of notice reasonably likely to inform residents in the affected 
vicinity will also be provided where available, such as:
    (1) Publication in a newspaper of general circulation in the State 
or in local newspapers;
    (2) Use of electronic media, such as the internet and email lists;
    (3) Radio broadcast; or
    (4) Posting of signs in the local vicinity.
    (g) Violating a closure or restriction is prohibited.


Sec.  13.400  [Amended]

0
6. In Sec.  13.400, remove paragraph (e) and redesignate paragraph (f) 
as new paragraph (e).

0
7. Revise Sec.  13.470 to read as follows:


Sec.  13.470  Subsistence fishing.

    Fish may be taken by local rural residents for subsistence uses in 
park areas where subsistence uses are allowed in compliance with 
applicable Federal law and regulation, including the provisions of 
Sec. Sec.  2.3 and 13.40 of this chapter. Local rural residents in park 
areas where subsistence uses are allowed may fish with a net, seine, 
trap, or spear; or use native species as bait, where permitted by 
applicable Federal law and regulation.

0
8. Revise Sec.  13.480 to read as follows:


Sec.  13.480  Subsistence hunting and trapping.

    Local rural residents may hunt and trap wildlife for subsistence 
uses in park areas where subsistence uses are allowed in compliance 
with this chapter and 50 CFR part 100.

0
9. In Sec.  13.490, revise paragraph (a) to read as follows:


Sec.  13.490  Closures and restrictions to subsistence uses of fish and 
wildlife.

    (a) The Superintendent may temporarily restrict a subsistence 
activity or close all or part of a park area to subsistence uses of a 
fish or wildlife population after consultation with the State and the 
Federal Subsistence Board in accordance with the provisions of this 
section. The Superintendent may make a temporary closure or restriction 
notwithstanding any other provision of this part, and only if the 
following conditions are met:
    (1) The restriction or closure must be necessary for reasons of 
public safety, administration, or to ensure the continued viability of 
the fish or wildlife population;
    (2) Except in emergencies, the Superintendent must provide public 
notice and hold a public hearing near the affected NPS unit;
    (3) The restriction or closure may last only so long as reasonably 
necessary to achieve the purposes of the closure.
* * * * *

    Dated: September 9, 2015.
Michael Bean,
Principal Deputy Assistant Secretary for Fish and Wildlife and Parks.
[FR Doc. 2015-26813 Filed 10-22-15; 8:45 am]
 BILLING CODE 4310-EJ-P



                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                        64325

                                                their transits to minimize any impact                   Specialist, Alaska Regional Office, 240               changes in the final rule from that
                                                caused by the temporary deviation.                      West 5th Ave., Anchorage, AK 99501.                   proposed. These changes are
                                                   In accordance with 33 CFR 117.35(e),                 Phone (907) 644–3417. Email: AKR_                     summarized below in the section
                                                the drawbridges must return to their                    Regulations@nps.gov                                   entitled ‘‘Changes from the Proposed
                                                regular operating schedule immediately                  SUPPLEMENTARY INFORMATION:                            Rule.’’
                                                at the end of the effective period of this                                                                    Federal and State Mandates for
                                                temporary deviation. This deviation                     Background
                                                                                                                                                              Managing Wildlife.
                                                from the operating regulations is                       Proposed Rule and Public Comment
                                                authorized under 33 CFR 117.35.                         Period                                                   In enacting the Alaska National
                                                                                                                                                              Interest Lands Conservation Act
                                                  Dated: October 19, 2015.                                 On September 4, 2014, the National                 (ANILCA) (16 U.S.C. 410hh–410hh–5;
                                                Steven M. Fischer,                                      Park Service (NPS) published the                      3101–3233) in 1980, Congress’s stated
                                                Bridge Administrator, Thirteenth Coast Guard            proposed rule in the Federal Register                 purpose was to establish in Alaska
                                                District.                                               (79 FR 52595). The rule was open for                  various conservation system units that
                                                [FR Doc. 2015–26922 Filed 10–22–15; 8:45 am]            public comment for 90 days, until                     contain nationally significant values,
                                                BILLING CODE 9110–04–P                                  December 3, 2014. The NPS reopened                    including units of the National Park
                                                                                                        the comment period from January 15,                   System, in order to preserve them ‘‘for
                                                                                                        2015 through February 15, 2015 (80 FR                 the benefit, use, education, and
                                                DEPARTMENT OF THE INTERIOR                              2065). The NPS invited comments                       inspiration of present and future
                                                                                                        through the mail, hand delivery, and                  generations[.]’’ 16 U.S.C. 3101(a).
                                                National Park Service                                   through the Federal eRulemaking Portal                Included among the express purposes in
                                                                                                        at http://www.regulations.gov.                        ANILCA are preservation of wildlife,
                                                36 CFR Part 13                                             During the first comment period in                 wilderness values, and natural
                                                                                                        2014, the NPS held 17 public hearings                 undisturbed, unaltered ecosystems
                                                [NPS–AKRO–18755; PPAKAKROZ5,                            in various locations in Alaska.
                                                PPMPRLE1Y.L00000]                                                                                             while allowing for recreational
                                                                                                        Approximately 168 individuals                         opportunities, including sport hunting.
                                                RIN 1024–AE21                                           attended these hearings and                           16 U.S.C. 3101(a)–(b).
                                                                                                        approximately 120 participants                           The legislative history of ANILCA
                                                Alaska; Hunting and Trapping in                         provided testimony during the formal                  reinforces the purpose of the National
                                                National Preserves                                      public comment sessions. During the                   Park System units to maintain natural,
                                                                                                        second comment period, nine public                    undisturbed ecosystems. ‘‘Certain units
                                                AGENCY:    National Park Service, Interior.
                                                                                                        meetings were held in the State. A total              have been selected because they provide
                                                ACTION:   Final rule.                                   of 29 individuals attended the public                 undisturbed natural laboratories—
                                                SUMMARY:   The National Park Service is                 meetings, and a total of nine attendees               among them the Noatak, Charley, and
                                                amending its regulations for sport                      spoke during the formal public                        Bremner River watersheds.’’ Alaska
                                                hunting and trapping in national                        comment sessions. The NPS also held                   National Interest Lands, Report of the
                                                preserves in Alaska. This rule provides                 two statewide government-to-                          Senate Committee on Energy and
                                                that the National Park Service does not                 government consultation                               Natural Resources, Report No. 96–413 at
                                                adopt State of Alaska management                        teleconferences, and offered to consult               page 137 [hereafter Senate Report].
                                                actions or laws or regulations that                     in person, with tribes. Four comments                 Legislative history identifies Gates of
                                                authorize taking of wildlife, which are                 were received during the statewide                    the Artic, Denali, Katmai, and Glacier
                                                                                                        government-to-government consultation                 Bay National Parks as ‘‘large sanctuaries
                                                related to predator reduction efforts (as
                                                                                                        conference calls and the NPS met with                 where fish and wildlife may roam
                                                defined in this rule). This rule affirms
                                                                                                        three tribes that requested consultation              freely, developing their social structures
                                                current State prohibitions on harvest
                                                                                                        in person (Allakaket, Tazlina, and                    and evolving over long periods of time
                                                practices by adopting them as federal
                                                                                                        Chesh’na (Chistochina)).                              as nearly as possible without the
                                                regulation. The rule also prohibits the
                                                                                                           The NPS received approximately                     changes that extensive human activities
                                                following activities that are allowed
                                                                                                        70,000 comments on the proposed rule                  would cause.’’ Senate Report, at page
                                                under State law: Taking any black bear,
                                                                                                        during the public comment period.                     137.
                                                including cubs and sows with cubs,                                                                               The congressional designation of
                                                                                                        These included unique comment letters,
                                                with artificial light at den sites; taking                                                                    ‘‘national preserves’’ in Alaska was for
                                                                                                        form letters, and signed petitions.
                                                brown bears and black bears over bait;                                                                        the specific and sole purpose of
                                                                                                        Approximately 65,000 comments were
                                                taking wolves and coyotes during the                                                                          allowing sport hunting and commercial
                                                                                                        form letters. The NPS also received
                                                denning season; harvest of swimming                                                                           trapping, unlike areas designated as
                                                                                                        three petitions with a combined total of
                                                caribou or taking caribou from a                                                                              national parks. 126 Cong. Rec. H10549
                                                                                                        approximately 75,000 signatures. Some
                                                motorboat while under power; and                                                                              (Nov. 12, 1980) (Statement of Rep.
                                                                                                        commenters sent comments by multiple
                                                using dogs to hunt black bears. The rule                                                                      Udall). 16 U.S.C. 3201 directs that
                                                                                                        methods. NPS attempted to match such
                                                also simplifies and updates procedures                                                                        national preserves shall be managed ‘‘in
                                                                                                        duplicates and count them as one
                                                for closing an area or restricting an                                                                         the same manner as a national park . . .
                                                                                                        comment. Additionally, many
                                                activity in National Park Service areas                                                                       except that the taking of fish and
                                                                                                        comments were signed by more than
                                                in Alaska; updates obsolete subsistence                                                                       wildlife for sport purposes and
                                                                                                        one person. NPS counted a letter or
                                                regulations; prohibits obstructing                                                                            subsistence uses, and trapping shall be
                                                                                                        petition as a single comment, regardless
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                                                persons engaged in lawful hunting or                                                                          allowed in a national preserve[.]’’ Under
                                                                                                        of the number of signatories.
                                                trapping; and authorizes the use of                        A summary of comments and NPS                      ANILCA and as used in this document,
                                                native species as bait for fishing.                     responses is provided below in the                    the term ‘‘subsistence’’ refers to
                                                DATES: This rule is effective November                  section entitled ‘‘Summary of and                     subsistence activities by rural Alaska
                                                23, 2015.                                               Responses to Public Comments.’’ After                 residents authorized by Title VIII of
                                                FOR FURTHER INFORMATION CONTACT:                        considering the public comments and                   ANILCA, which ANILCA identifies as
                                                Andee Sears, Regional Law Enforcement                   additional review, the NPS made some                  the priority consumptive use of fish and


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                                                64326             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                wildlife on public lands. 16 U.S.C. 3144.               ability to support a high level of human              established the national preserves in
                                                Subsistence taking of fish and wildlife                 harvest of game[.]’’ AS § 16.05.255(k)(5).            Alaska. Additional liberalizations by the
                                                in NPS areas is generally regulated by                  To that end, the Alaska Board of Game                 State that are inconsistent with NPS
                                                the Department of the Interior. Taking                  (BOG) is directed to ‘‘adopt regulations              management directives, policies, and
                                                wildlife for sport purposes in national                 to provide for intensive management                   federal law are anticipated in the future.
                                                preserves is generally regulated by the                 programs to restore the abundance or                     16 U.S.C. 3201 of ANILCA provides
                                                State of Alaska.                                        productivity of identified big game prey              ‘‘within national preserves the Secretary
                                                   In addressing wildlife harvest, the                  populations as necessary to achieve                   may designate zones where and periods
                                                legislative history provided ‘‘the                      human consumptive use goals[.]’’ AS                   when no hunting, fishing, trapping, or
                                                Secretary shall manage National Park                    § 16.05.255(e). Allowances that                       entry may be permitted for reasons of
                                                System units in Alaska to assure the                    manipulate natural systems and                        public safety, administration, floral and
                                                optimum functioning of entire                           processes to achieve these goals,                     faunal protection, or public use and
                                                ecological systems in undisturbed                       including actions to reduce or increase               enjoyment.’’ In order to comply with
                                                natural habitats. The standard to be met                wildlife populations for harvest, conflict            federal law and NPS policy, the NPS has
                                                in regulating the taking of fish and                    with laws and policies applicable to                  adopted temporary restrictions under 36
                                                wildlife and trapping, is that the                      NPS areas that require preserving                     CFR 13.40(e) to prevent the application
                                                preeminent natural values of the Park                   natural wildlife populations. See, e.g.,              of the above listed predator harvest
                                                System shall be protected in perpetuity,                NPS Management Policies 2006 §§ 4.1,                  practices to national preserves in Alaska
                                                and shall not be jeopardized by human                   4.4.3.                                                (see, e.g., 2013 Superintendent’s
                                                uses.’’ 126 Cong. Rec. H10549 (Nov. 12,                    This potential for conflict was                    Compendium for Denali National Park
                                                1980) (Statement of Rep. Udall). This is                recognized by the Senate Committee on                 and Preserve). These restrictions protect
                                                reflected in the statutory purposes of                  Energy and Natural Resources prior to                 fauna and provide for public use and
                                                various national preserves that were                    the passage of ANILCA, when the                       enjoyment consistent with ANILCA.
                                                established by ANILCA, which include                    Committee stated that ‘‘[i]t is contrary to           While the NPS prefers a State solution
                                                the protection of populations of fish and               the National Park Service concept to                  to these conflicts, the State has been
                                                wildlife, including specific references to              manipulate habitat or populations to                  mostly unwilling to accommodate the
                                                predators such as brown/grizzly bears                   achieve maximum utilization of natural                different management directives for NPS
                                                and wolves.                                             resources. Rather, the National Park                  areas. In the last ten years, the NPS has
                                                   Activities related to taking wildlife                System concept requires                               objected to more than fifty proposals to
                                                remain subject to other federal laws,                   implementation of management policies                 liberalize predator harvest in areas that
                                                including the mandate of the NPS                        which strive to maintain natural                      included national preserves, and each
                                                Organic Act (54 U.S.C. 100101) ‘‘to                     abundance, behavior, diversity and                    time the BOG has been unwilling to
                                                conserve the scenery, natural and                       ecological integrity of native animals as             exclude national preserves from State
                                                historic objects, and wild life’’ in units              part of their ecosystem, and that concept             regulations designed to manipulate
                                                of the National Park System and to                      should be maintained.’’ Senate Report,                predator/prey dynamics for human
                                                provide for visitor enjoyment of the                    at page 171.                                          consumptive use goals.
                                                same for this and future generations.                      In the last several years, the State of               In deciding not to treat NPS lands
                                                Policies implementing the NPS Organic                   Alaska has allowed an increasing                      differently from State and other lands,
                                                Act require the NPS to protect natural                  number of liberalized methods of                      the BOG suggested the NPS was
                                                ecosystems and processes, including the                 hunting and trapping wildlife and                     responsible for ensuring that taking
                                                natural abundances, diversities,                        extended seasons to increase                          wildlife complies with federal laws and
                                                distributions, densities, age-class                     opportunities to harvest predator                     policies applicable to NPS areas, and
                                                distributions, populations, habitats,                   species. Predator harvest practices                   that the NPS could use its own authority
                                                genetics, and behaviors of wildlife. NPS                recently authorized on lands in the                   to ensure national preserves are
                                                Management Policies 2006 §§ 4.1, 4.4.1,                 State, including lands in several                     managed in a manner consistent with
                                                4.4.1.2, 4.4.2. The legislative history of              national preserves, include:                          federal law and NPS policy. See, e.g.,
                                                ANILCA reflects that Congress did not                      • Taking any black bear, including                 Statement of BOG Chairman Judkins to
                                                intend to modify the NPS Organic Act                    cubs and sows with cubs, with artificial              Superintendent Dudgeon, BOG Public
                                                or its implementing policies in this                    light at den sites;                                   Meeting in Fairbanks, Alaska (February
                                                respect: ‘‘the Committee recognizes that                   • harvesting brown bears over bait                 27, 2010) (NPS was testifying in
                                                the policies and legal authorities of the               (which often includes dog food, bacon/                opposition to allowing the take of black
                                                managing agencies will determine the                    meat grease, donuts, and other human                  bear cubs and sows with cubs with
                                                nature and degree of management                         food sources); and                                    artificial light in national preserves). In
                                                programs affecting ecological                              • taking wolves and coyotes                        the absence of State action excluding
                                                relationships, population’s dynamics,                   (including pups) during the denning                   national preserves, this rulemaking is
                                                and manipulations of the components of                  season when their pelts have little                   required to make the temporary
                                                the ecosystem.’’ Senate Report, at pages                trophy, economic, or subsistence value.               restrictions permanent. 36 CFR 13.50(d).
                                                232–331. NPS policy states that                            These practices are not consistent                 This rule responds to the BOG’s
                                                ‘‘activities to reduce . . . native species             with the NPS’s implementation of                      suggestion by promulgating NPS
                                                for the purpose of increasing numbers of                ANILCA’s authorization of sport                       regulations to ensure national preserves
                                                harvested species (i.e. predator control)’’             hunting and trapping in national                      are managed consistent with federal law
                                                are not allowed on lands managed by                     preserves. To the extent such practices               and policy and prevent historically
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                                                the NPS. NPS Management Policies                        are intended or reasonably likely to                  prohibited sport hunting practices from
                                                2006 § 4.4.3.                                           manipulate wildlife populations for                   being authorized in national preserves.
                                                   The State’s legal framework for                      harvest purposes or alter natural                        The scope of this rule is limited—
                                                managing wildlife in Alaska is based on                 wildlife behaviors, they are not                      sport hunting and trapping are still
                                                sustained yield, which is defined by                    consistent with NPS management                        allowed throughout national preserves
                                                State statute to mean ‘‘the achievement                 policies implementing the NPS Organic                 and the vast majority of State hunting
                                                and maintenance in perpetuity of the                    Act or the sections of ANILCA that                    regulations are consistent with federal


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                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                         64327

                                                law and policy and continue to apply in                 supersedes for park areas in Alaska the               regulations for national preserves,
                                                national preserves. This rule only                      National Park System-wide prohibition                 because it does not directly regulate
                                                restricts sport hunting and trapping in                 on using certain types of bait in 36 CFR              hunting and trapping. This rule directly
                                                national preserves, which constitute less               2.3(d)(2).                                            codifies these prohibitions into the NPS
                                                than six percent of the lands in Alaska                                                                       regulations, to prevent the frustration of
                                                                                                        Prohibiting Predator Reduction
                                                open to hunting. This rule does not                                                                           lawful hunting and trapping in national
                                                limit the taking of wildlife for Title VIII               Activities or management actions                    preserves.
                                                subsistence uses under the federal                      involving predator reduction efforts
                                                                                                        with the intent or potential to alter or              Updating Closure and Restriction
                                                subsistence regulations.                                                                                      Procedures
                                                                                                        manipulate natural ecosystems or
                                                Final Rule                                              processes (including natural predator/                   The rule updates and simplies the
                                                Summary of Final Rule                                   prey dynamics, distributions, densities,              procedures for implementing closures
                                                                                                        age-class distributions, populations,                 and restrictions on certain activities in
                                                   The rule separates regulations that                  genetics, or behavior of a species) are               NPS areas in Alaska. These changes will
                                                govern the taking of fish and the taking                inconsistent with the laws and policies               make the procedures in Alaska more
                                                of wildlife into two sections: 13.40 and                applicable to NPS areas. The rule                     consistent with other NPS units outside
                                                13.42, respectively. The rule makes the                 clarifies in regulation that these                    of Alaska and with Alaska State Parks.
                                                following substantive changes to                        activities are not allowed on NPS lands               The rule clarifies that Superintendents
                                                existing NPS regulations:                               in Alaska. Under this rule, the Regional              must use the procedures in § 13.50 to
                                                   (1) In accordance with NPS policies,                 Director will compile a list updated at               implement any closure or restriction in
                                                taking wildlife, hunting or trapping                    least annually of activities prohibited by            NPS areas in Alaska. This eliminates
                                                activities, or management actions                       this section of the rule. Notice will be              potential confusion about whether the
                                                involving predator reduction efforts                    provided in accordance with 36 CFR                    procedures in § 13.50 apply only when
                                                with the intent or potential to alter or                13.50(f) of this rule.                                they are referenced in a separate
                                                manipulate natural predator-prey                                                                              regulation in part 13 (currently found in
                                                dynamics and associated natural                         Prohibiting Methods and Means of
                                                                                                                                                              the regulations for weapons, camping,
                                                ecological processes to increase harvest                Taking Wildlife in National Preserves
                                                                                                                                                              and taking fish and wildlife), or whether
                                                of ungulates by humans are not allowed                    The rule codifies for national                      they apply to all closures and
                                                on NPS-managed lands. It also explains                  preserves current State prohibitions on               restrictions in Alaska.
                                                how the NPS will notify the public of                   harvest practices, and also maintains                    The rule requires rulemaking for
                                                specific activities that are not consistent             historical prohibitions on certain sport              nonemergency closures or restrictions if
                                                with this section.                                      hunting practices that have been                      the closures or restrictions (or the
                                                   (2) Affirms current State prohibitions               recently authorized by the State for                  termination or relaxation of them) are of
                                                on harvest practices by adopting them                   taking predators. It also eliminates                  a nature, magnitude and duration that
                                                as federal regulation, and also maintains               exceptions (as applied to national                    will result in a significant alteration in
                                                historical prohibitions on certain                      preserves) under State laws that                      the public use pattern of the area,
                                                practices that the State has recently                   authorize sport hunters to take                       adversely affect the area’s natural,
                                                authorized for sport hunting of                         swimming caribou, to take caribou from                aesthetic, scenic or cultural values, or
                                                predators: (i) Taking any black bear,                   motorboats under power, to take black                 require a long-term or significant
                                                including cubs and sows with cubs,                      bears over bait, and to use dogs to hunt              modification in the resource
                                                with artificial light at den sites; (ii)                black bears. The elements of the rule                 management objectives of the area.
                                                taking brown bears over bait; and (iii)                 that are described in this paragraph will             These rulemaking criteria are modeled
                                                taking wolves and coyotes during the                    not be implemented until January 1,                   after the the criteria that apply to
                                                denning season. The rule also                           2016, to avoid any potential confusion                closures and restrictions in Alaska State
                                                eliminates exceptions to practices                      that may arise from issuing this rule                 Parks (11 AAC 12.335), which are also
                                                generally prohibited under State of                     during the 2015 hunting seasons.                      similar to the criteria in 36 CFR 1.5(b)
                                                Alaska law, thereby prohibiting: Taking                 Delaying the implementation of these                  that apply to NPS areas outside of
                                                caribou that are swimming, or from a                    provisions will give the general public               Alaska. Emergency closures and
                                                motorboat that is under power, in two                   and other stakeholders sufficient time to             restrictions are limited to the duration
                                                game management units (GMU); baiting                    understand the new rules before the                   of the emergency.
                                                black bears; and using dogs to hunt                     2016 hunting seasons begin.                              Before a nonemergency closure or
                                                black bears.                                                                                                  restriction can be implemented, the NPS
                                                   (3) Prohibits intentionally obstructing              Prohibiting the Obstruction of Persons                must issue a written determination
                                                or hindering persons actively engaged in                Engaged in Lawful Hunting or Trapping                 explaining the basis of the closure or
                                                lawful hunting or trapping.                               The rule prohibits the intentional                  restriction. The NPS will also compile
                                                   (4) Updates and simplifies procedures                obstruction or hindrance of another                   in writing a list, updated annually, of all
                                                for implementing closures or                            person’s lawful hunting or trapping                   closures and restrictions (i.e., the
                                                restrictions in park areas, including                   activities. This includes (i) placing                 compendium). The compendium and
                                                taking fish and wildlife for sport                      oneself in a location in which human                  the written determinations of need will
                                                purposes.                                               presence may alter the behavior of the                be posted on the NPS Web site and
                                                   (5) Updates NPS regulations to reflect               game that another person is attempting                made available at park headquarters.
                                                federal assumption of the management                    to take or alter the imminent feasibility                With respect to nonemergency
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                                                of subsistence hunting and fishing                      of taking game by another person; or (ii)             restrictions on taking of fish and
                                                under Title VIII of ANILCA from the                     creating a visual, aural, olfactory, or               wildlife in national preserves, the final
                                                State in the 1990s.                                     physical stimulus in order to alter the               rule requires an opportunity for public
                                                   (6) Allows the use of native species as              behavior of the game that another                     comment, including a public meeting
                                                bait, commonly salmon eggs, for fishing                 person is attempting to take. These                   near the affected NPS unit, before the
                                                in accordance with applicable federal                   actions are prohibited by State law, but              action is taken. This rule recognizes
                                                and non-conflicting State law. This                     this law is not adopted under the                     that, although the internet has become


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                                                64328                    Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                an effective method of communicating                                     State prior to adopting such closures                         comment, including a public meeting,
                                                with the public, in-person public                                        and restrictions. Emergency closures or                       near the affected NPS unit.
                                                meetings may still be the most effective                                 restrictions on the taking of fish or                           The following table summarizes the
                                                way to engage Alaskans, particularly                                     wildlife are limited to 60 days and may                       changes from the proposed rule
                                                those in rural areas. The rule also                                      only be extended after consultation with                      regarding procedures to implement
                                                requires the NPS to consult with the                                     the State and an opportunity for public                       closures or restrictions in § 13.50:

                                                                                  Proposed rule procedures                                                                              Final rule procedures

                                                                                                                                                  Applicability

                                                Applies only to closures pertaining to weapons, camping, and taking of                                        Applies to all closures or restrictions except when more specific proce-
                                                  fish or wildlife.                                                                                             dures apply in 36 CFR part 13.

                                                                                                 Factors used to determine whether to close an area or restrict an activity

                                                Includes protecting the integrity of naturally-functioning ecosystems as                                      Retains factors in existing regulations at 13.50.
                                                  an appropriate reason for a closure or restriction.

                                                                                                                                          Written determinations

                                                Not required ..............................................................................................   Requires a written determination explaining the reason for the pro-
                                                                                                                                                                posed closure/restriction in nonemergency situations. This deter-
                                                                                                                                                                mination will be posted on www.nps.gov.

                                                                                                                               Emergency Closures or Restrictions

                                                May not exceed 60 days ..........................................................................             Duration of the emergency, except for emergency closures or restric-
                                                                                                                                                                tions on taking fish or wildlife, which may not exceed 60 days.

                                                                                                                Restrictions on Taking Fish or Wildlife (nonemergency)

                                                Consultation with the State and opportunity for public comment prior to                                       Consultation with the State and opportunity for public comment, includ-
                                                  adopting a closure or restriction.                                                                            ing one or more public meetings near the affected NPS unit, prior to
                                                                                                                                                                implementing a closure or restriction.

                                                                                                                                                       Notice

                                                Closures or restrictions will be effective upon publication on park                                           Some closures or restrictions will be effective upon publication on park
                                                  website.                                                                                                      websites, but other closures or restrictions may be posted on a park
                                                                                                                                                                website prior to taking effect, to give the public adequate time to un-
                                                                                                                                                                derstand and comply with them. A list of closures and restrictions will
                                                                                                                                                                be compiled in writing and updated annually, and will be posted on
                                                                                                                                                                the park websites.



                                                Update Subsistence Regulations to                                        allows the use of local native species as                        As discussed above, the rule also
                                                Reflect Federal Management                                               bait for fishing.                                             responds to a number of other
                                                                                                                                                                                       regulatory needs, by updating and
                                                   The rule updates the subsistence                                      Frequently Asked Questions
                                                                                                                                                                                       streamlining closure procedures,
                                                provisions in NPS regulations (36 CFR                                      This section explains some of the                           updating subsistence provisions to
                                                13.470, 13.480, and 13.490) to reflect the                               principal elements of the rule in a                           reflect the program’s actual
                                                federal government’s assumption of the                                   question and answer format.                                   management, prohibiting interference
                                                management and regulation of                                                                                                           with lawful hunting consistent with
                                                subsistence take of fish and wildlife                                    Why is this rule necessary?                                   State law, and allowing use of native
                                                under ANILCA and the transfer of                                            The rule responds to State hunting                         species as bait for fishing.
                                                subsistence management under Title                                       regulations that authorize wildlife
                                                VIII from the State to the Federal                                                                                                     Does this rule restrict subsistence
                                                                                                                         harvest practices that conflict with                          harvest of wildlife under Title VIII of
                                                Subsistence Board. The rule makes                                        ANILCA’s authorization for sport
                                                other non-substantive, editorial changes                                                                                               ANILCA?
                                                                                                                         hunting, the statutory purposes for
                                                to the language in 36 CFR 13.490 to                                      which national preserves were                                    No.
                                                streamline, clarify, and better organize                                 established, and the NPS Organic Act as
                                                this section.                                                                                                                          Does this rule prohibit all hunting under
                                                                                                                         implemented by the NPS. These include                         State regulations on national preserves
                                                Allowing the Use of Native Species as                                    liberalized predator harvest seasons,                         in Alaska?
                                                Bait for Fishing                                                         bear baiting, and the harvest of caribou
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                                                                                                                         while swimming. National park areas                              No. This rule restricts certain methods
                                                  NPS regulations generally prohibit the                                 are managed for natural ecosystems and                        of harvest currently allowed on national
                                                use of many forms of bait for fishing to                                 processes, including wildlife                                 preserves by the State of Alaska under
                                                help protect against the spread of                                       populations. The NPS legal and policy                         its general hunting regulations. These
                                                nonnative species. Fish eggs from native                                 framework prohibits reducing native                           include the taking of any black bear,
                                                species (usually salmon), are commonly                                   predators for the purpose of increasing                       including cubs and sows with cubs,
                                                used for fishing in Alaska. This rule                                    numbers of harvested species.                                 with artificial light at den sites, taking


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                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                        64329

                                                brown and black bears over bait, taking                 Alaska, for the purpose of conserving                 allowed under State law: (1) Taking any
                                                wolves and coyotes between May 1 and                    the wild life and providing for the                   black bear, including cubs and sows
                                                August 9, harvest of swimming caribou                   enjoyment of the wild life in such                    with cubs, with artificial light at den
                                                or taking caribou from a motorboat                      manner and by such means as will leave                sites, (2) taking brown bears and black
                                                while under power, and using dogs to                    them unimpaired for the enjoyment of                  bears over bait, (3) taking wolves and
                                                hunt black bears. Additionally, State                   future generations. 54 U.S.C. 100101(a)               coyotes from May 1 through August 9,
                                                laws or regulations involving predator                  and 100751. ANILCA authorizes the                     (4) harvest of swimming caribou and
                                                reduction efforts with the intent or                    Secretary of the Interior, acting through             harvest of caribou from a moving
                                                potential to alter or manipulate natural                the NPS, to promulgate regulations                    motorboat by those other than local
                                                predator-prey dynamics and associated                   prescribing restrictions relating to                  rural residents in those portions of
                                                natural ecological processes to increase                hunting, fishing, or trapping for reasons             Noatak, Gates of the Arctic, and Bering
                                                harvest of ungulates by humans will not                 of public safety, administration, floral              Land Bridge Preserves that are within
                                                apply in national preserves, pursuant to                and faunal protection, or public use and              GMUs 23 and 26, and (5) using dogs to
                                                this rule. These restrictions will affect a             enjoyment. 16 U.S.C. 3201 and 3202.                   hunt black bears.
                                                very small percentage of hunting                        The rule says that State laws or                      Black bear baiting has been allowed for
                                                practices authorized by State regulation                management actions involving predator                 more than three decades. Why is the
                                                and less than six percent of the lands in               reduction are not adopted in national                 NPS prohibiting it now?
                                                Alaska that are open to hunting.                        preserves. How will I know if a State law                The NPS proposed prohibiting the
                                                What regulations apply to hunting and                   involves predator reduction?                          harvest of brown bears over bait to avoid
                                                trapping in national preserves?                            The Regional Director will compile a               public safety issues, to avoid food-
                                                   Title 36 of the Code of Federal                      list updated at least annually of State               conditioning bears and other species,
                                                Regulations (CFR) applies to sport                      laws and regulations that are not                     and to maintain natural bear behavior as
                                                hunting and trapping in national                        adopted in national preserves. This list              required by NPS law and policy. Other
                                                preserves. State harvest laws and                       will be posted at www.nps.gov and                     land and wildlife management agencies
                                                regulations (Alaska Statute Title 16 and                available upon request at NPS park                    strive to eliminate the feeding of bears
                                                Alaska Administrative Code Title 5                      headquarters.                                         through individual and collective
                                                AAC) that are consistent with 36 CFR                                                                          educational efforts due to the increased
                                                                                                        I live in a nonrural area and hunt under
                                                also apply on national preserves.                                                                             likelihood that food-conditioned bears
                                                                                                        State subsistence regulations. Does this
                                                ANILCA Title VIII subsistence harvest                                                                         will be killed by agency personnel or
                                                                                                        rule restrict my subsistence harvest
                                                of fish and wildlife by Federally-                                                                            the public in defense of life or property.
                                                                                                        practices?
                                                qualified rural residents is authorized in                                                                    Food-conditioned bears are also
                                                national preserves in Alaska under 36                      Title VIII of ANILCA limits                        believed more likely to cause human
                                                CFR part 13 and 50 CFR part 100. Please                 subsistence activities to local rural                 injury. Baiting tends to occur in
                                                contact the park chief ranger for                       residents. This rule does not restrict                accessible areas used by multiple user
                                                additional information or assistance.                   federally-qualified subsistence users                 groups, which contributes to the public
                                                                                                        who are hunting in accordance with                    safety concerns associated with baiting.
                                                Do I still have to use the State                        federal subsistence regulations. But                  The concerns presented with taking
                                                regulations book when hunting on                        those persons living in nonrural areas                brown bears over bait also apply to
                                                national preserves?                                     (who therefore are not federally-                     black bear baiting. After reviewing
                                                  Yes. State hunting regulations apply                  qualified subsistence users) must                     public comment, the final rule prohibits
                                                to national preserves except when in                    comply with the restrictions in this rule.            taking both black bears and brown bears
                                                conflict with federal regulation. Please                For example, only federally qualified                 over bait in national preserves.
                                                contact the park chief ranger for                       subsistence users hunting under federal
                                                                                                        subsistence regulations will be able to               Why is the NPS prohibiting the take of
                                                additional information or assistance.
                                                                                                        take swimming caribou within national                 swimming caribou by individuals who
                                                Does this rule restrict intensive                       preserves, for all others this practice               are not federally qualified subsistence
                                                management of predators on NPS                          will now be prohibited in national                    users?
                                                lands?                                                  preserves.                                              Taking swimming big game is already
                                                  Yes. Consistent with NPS                                                                                    generally prohibited by State law, but
                                                                                                        How is hunting on national preserves
                                                Management Policies 2006, the NPS                                                                             there are exceptions in State law for the
                                                                                                        different than hunting on State land?
                                                Organic Act, and the statutory purposes                                                                       take of swimming caribou in GMUs 23
                                                for which national preserves were                         Hunting in national preserves is                    and 26, which include portions of
                                                established, this rule prohibits predator               different than on State (or private) lands            Noatak, Bering Land Bridge, and Gates
                                                reduction activities on national                        because NPS regulations also apply and                of the Arctic National Preserves. This
                                                preserves that have the intent or                       govern in the event of a conflict with                method of harvest remains available to
                                                potential to alter or manipulate natural                State law or regulation. However,                     federally qualified subsistence users in
                                                predator-prey dynamics and associated                   harvest opportunities and practices in                their pursuit of food. However, as is
                                                natural ecological processes to increase                national preserves vary little from                   further explained below, this method is
                                                harvest of ungulates by humans.                         practices allowed under State law,                    one of those that NPS has found is not
                                                                                                        except for some very specific                         consistent with ANILCA’s authorization
                                                What is the authority for the NPS to                    circumstances for which where the NPS                 for sport hunting in national preserves.
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                                                restrict hunting and trapping in this                   has issued regulations. For example,
                                                rule?                                                   same-day airborne hunting of big game                 Does this rule impact fishing in NPS
                                                  The NPS Organic Act authorizes the                    animals, arctic fox, red fox, and lynx has            units in Alaska?
                                                NPS to promulgate regulations that are                  not been allowed on NPS lands since                     Yes. This rule allows federally
                                                necessary and proper for the use and                    1995. This rule adds several additional               qualified subsistence users to use native
                                                management of National Park System                      NPS regulations prohibiting the                       species as bait for fishing in accordance
                                                units, including national preserves in                  following harvest practices that are                  with federal subsistence regulations.


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                                                64330             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                Others will also be able to use native                  provide that the opportunity for                      groups as invaluable. The NPS
                                                species for bait when such use is in                    comment must include at least one                     encourages these groups to engage with
                                                accordance with non-conflicting State                   public meeting near the affected NPS                  park managers on topics of interest. The
                                                fishing regulations.                                    unit in nonemergency situations. This is              NPS also invites and encourages these
                                                                                                        a change from the existing regulations,               committees and groups to provide input
                                                What procedures must the NPS follow to                                                                        on decisions affecting public use of NPS
                                                                                                        which require a public hearing.
                                                adopt closures and restrictions in NPS                                                                        managed lands as outlined in this final
                                                                                                        Requiring a ‘‘meeting’’ instead of a
                                                units in Alaska?                                                                                              rule.
                                                                                                        ‘‘hearing’’ provides more flexibility on
                                                   The procedures in 36 CFR 13.50 apply                 how the event is structured. During the
                                                to all closures and restrictions in NPS                                                                       Summary of and Responses to Public
                                                                                                        public hearings conducted in 2014, the                Comments
                                                units in Alaska, unless there are more                  NPS received feedback that some local
                                                specific procedures stated elsewhere in                 communities prefer a less formal                        A summary of substantive comments
                                                law or regulation. For example, the                     approach and more opportunities for                   and NPS responses is provided below
                                                following regulations have specific                     dialog with NPS managers. The NPS                     followed by a table that sets out changes
                                                procedures:                                             believes the term ‘‘meeting’’ more                    we have made to the proposed rule
                                                   • Unattended or abandoned property,                  appropriately describes this type of                  based on the analysis of the comments
                                                36 CFR 13.45                                            informational exchange. The NPS also                  and other considerations.
                                                   • Use of snowmobiles, motorboats,                    believes the term public meeting is                   Consultation
                                                dog teams, and other means of surface                   broad enough to include a public
                                                transportation traditionally employed                                                                            1. Comment: Some commenters stated
                                                                                                        hearing if that is more appropriate for
                                                by local rural residents engaged in                                                                           the NPS did not adequately consult with
                                                                                                        the area.                                             the State of Alaska prior to publishing
                                                subsistence uses, 36 CFR 13.460
                                                   • Subsistence use of timber and plant                Where can I find information about                    the proposed rule and in doing so, acted
                                                material, 36 CFR 13.485                                 closures and restrictions?                            inconsistently with ANILCA, the Master
                                                   • Closure to subsistence uses of fish                  Information about closures and                      Memorandum of Understanding
                                                and wildlife, 36 CFR 13.490                             restrictions is posted on each park’s                 between the NPS and the Alaska
                                                                                                        Web site at www.nps.gov. This                         Department of Fish and Game (ADF&G),
                                                What closures or restrictions will require                                                                    and Executive Order 12866.
                                                notice and comment rulemaking that is                   information is also available upon
                                                                                                                                                                 NPS Response: The NPS respects its
                                                published in the Federal Register?                      request at NPS park headquarters.
                                                                                                                                                              responsibility to consult with the State
                                                  Any nonemergency closure or                           Why did the NPS delete the references                 (and others) regarding NPS actions,
                                                restriction, or the termination or                      to State law in the subsistence                       especially given that wildlife
                                                relaxation of such, which is of a nature,               regulations?                                          management in NPS units is a
                                                magnitude, and duration that will result                  The NPS deleted the provisions                      responsibility that is shared between the
                                                in a significant alteration in the public               adopting non-conflicting State law                    NPS and the State. Publication of the
                                                use pattern of the area; adversely affect               because the State no longer manages                   proposed rule provided an opportunity
                                                the area’s natural, aesthetic, scenic, or               subsistence harvest under Title VIII of               for consultation between the NPS and
                                                cultural values; or require a long-term                 ANILCA. Subsistence harvest of fish                   the State. The NPS and the ADF&G met
                                                modification in the resource                            and wildlife on federal public lands is               shortly after the publication of the
                                                management objectives of the area.                      generally regulated by the Federal                    proposed rule, which is consistent with
                                                                                                        Subsistence Board.                                    ANILCA’s consultation requirement. 16
                                                Doesn’t ANILCA require public hearings                                                                        U.S.C. 3201. The NPS has engaged in
                                                prior to adopting closures or                           Is the NPS required to consult with the               ongoing communications with the
                                                restrictions?                                           State prior to adopting closures or                   ADF&G, the BOG, the State of Alaska
                                                  Public hearings near the affected                     restrictions to taking fish or wildlife?              ANILCA Implementation Program, and
                                                vicinity are required before restricting:                  Yes, except in the case of                         the State of Alaska Citizen’s Advisory
                                                (1) Subsistence harvest of fish or                      emergencies.                                          Commission on Federal Areas for a
                                                wildlife under Title VIII of ANILCA or                                                                        number of years regarding the issues
                                                (2) access authorized under 16 U.S.C.                   Is the NPS required to consult with                   that this rule addresses.
                                                3170 (a) of ANILCA. There is no                         tribes and ANCSA Native Corporations?                    Executive Order 12866 requires
                                                statutory requirement for a public                         Yes, the NPS is required to consult                federal agencies to ‘‘seek views of
                                                hearing for other types of closures or                  with tribes if an NPS action would have               appropriate State, local, and tribal
                                                restrictions.                                           a substantial direct effect on federally              governments before imposing regulatory
                                                                                                        recognized Indian tribes. Consultation                requirements that might significantly or
                                                Did the NPS eliminate a requirement for                                                                       uniquely affect those governmental
                                                                                                        with ANCSA Native Corporations is
                                                public hearings in the affected areas                                                                         entities.’’ Sec. 1(b)(9). As discussed
                                                                                                        required if an NPS action would have a
                                                before adopting closures or restrictions                                                                      below, the Office of Management and
                                                                                                        substantial direct effect on ANCSA
                                                relating to the take of fish and wildlife?                                                                    Budget determined this rule is not a
                                                                                                        Native Corporation lands, waters, or
                                                  The proposed rule included a                          interests.                                            significant regulatory action subject to
                                                requirement to provide an opportunity                                                                         this requirement. Regardless, the NPS
                                                for public comment on potential                         Is the NPS required to consult with                   invited the views of State, local, and
                                                restrictions to taking fish or wildlife.                affected user groups, such as Regional                tribal governments before publishing
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                                                Public comment may include written                      Advisory Committees, Subsistence                      this final rule, and also complied with
                                                comments, a public meeting, a public                    Resource Commissions, hunting                         its responsibilities under section 4 of
                                                hearing, or a combination thereof. Based                organizations, or other                               the Executive Order by including the
                                                upon public comment and to be more                      nongovernmental organizations?                        proposed rule in the Unified Regulatory
                                                consistent with the practices of the BOG                   While this kind of consultation is not             Agenda that was published by the Office
                                                and the Federal Subsistence Board, the                  required by law, the NPS regards the                  of Management and Budget on
                                                NPS modified the proposed rule to                       input from these advisory and other                   reginfo.gov.


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                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                        64331

                                                   The NPS signed and implemented the                   Subsistence Resource Commissions and                  dialogue with rural Alaskans. Others
                                                Master Memorandum of Understanding                      Regional Advisory Councils beginning                  expressed concern that the NPS is not
                                                (MMOU) with the ADF&G in 1982. The                      when the first temporary wildlife                     considering public comments when
                                                MMOU states that the ADF&G will                         harvest restrictions were considered in               developing the final rule, and did not
                                                manage wildlife on NPS managed lands                    2010, and provided periodic updates                   adequately respond to public comments
                                                for natural species diversity and natural               throughout the process. Since these                   delivered at public meetings.
                                                process. The NPS agreed to recognize                    harvest restrictions were first proposed,                NPS Response: The NPS agrees that it
                                                ADF&G as having the primary                             the NPS stated its intention to initiate              will continue to strive to increase
                                                responsibility to manage wildlife on                    rulemaking and solicited public                       cooperation and dialogue with rural
                                                lands in the State and utilize the State’s              comment on these provisions. After the                Alaskans, many of whom live near the
                                                regulatory process to the maximum                       proposed rule was published, the NPS                  national preserves and may be affected
                                                extent possible. Both agencies agreed to                provided 121 days for written comment,                by this rule. After consideration of
                                                coordinate planning to minimize                         met with and provided information to                  public comments on the proposed rule,
                                                conflicts from differing legal mandates                 multiple groups, and held an additional               the NPS has included a provision in the
                                                and consult with each other when                        26 public hearings across the State, in               final rule requiring it hold one or more
                                                developing regulations. The NPS                         rural locations near affected units as                public meetings near the affected NPS
                                                continues to recognize the State as                     well as Anchorage, Fairbanks, Palmer,                 unit before implementing any non-
                                                having primary responsibility to manage                 and Soldotna.                                         emergency closure or restriction on the
                                                fish and wildlife on lands in the State.                   3. Comment: Some commenters stated                 sport take of fish or wildlife in national
                                                However, the State’s responsibility is                  the NPS did not respond to comments                   preserves.
                                                not exclusive and it does not preclude                  and questions from the State of Alaska                   During the comment periods for the
                                                federal regulation of wildlife on federal               on the temporary wildlife harvest                     proposed rule, the NPS held 26 public
                                                public lands, as is well-established in                 restrictions that were included in the                hearings in Alaska in an effort to solicit
                                                the courts and specifically stated in                   proposed rule, which might have                       the opinions and comments of Alaskans.
                                                ANILCA. The NPS also attempted to                       enabled the State to take action that                 The NPS has considered all relevant
                                                utilize the State regulatory process to                 would make the proposed harvest                       comments it received on the proposed
                                                notify the BOG when proposals created                   restrictions unnecessary. Commenters                  rule, including those from rural
                                                a conflict with NPS laws, regulations,                  also suggested the NPS work with the                  Alaskans and those delivered at public
                                                and policies, years before the                          State of Alaska collaboratively to                    meetings. The NPS considers each
                                                publication of the proposed rule. During                address the wildlife harvest issues in                comment based upon its substantive
                                                this time NPS requested that the                        this rule.                                            content, and does not give greater
                                                conflicts be resolved, as a first resort,                  NPS Response: The NPS would have                   weight to any comment based upon the
                                                through the State regulatory process.                   preferred a collaborative approach with               residence of the commenter. This is also
                                                Only after conflicts could not be                       a solution in State law or regulation                 consistent with the statutory purpose for
                                                resolved through that process, and the                  rather than federal regulation. To that               establishing the national preserves in
                                                BOG suggested the NPS could use its                     end, the NPS has testified before the                 Alaska for the benefit, use, education,
                                                own authority to meet is mandates for                   Board of Game many times, requested                   and inspiration of present and future
                                                managing wildlife, did the NPS consider                 the Board of Game take specific                       generations of all Americans.
                                                modifications to federal regulations to                 regulatory action to address NPS                         5. Comment: Some comments stated
                                                resolve the conflicts.                                  concerns, met with ADF&G, provided                    that the NPS did not provide the public
                                                   2. Comment: Some commenters stated                   explanations for the restrictions in                  with sufficient time to review and
                                                that the NPS did not adequately consult                 writing, and responded to comments in                 comment on the proposed rule. Other
                                                with tribes, various advisory                           the annual park compendiums. The NPS                  comments felt that the NPS should not
                                                committees, and rural residents prior to                acknowledges the State requested                      be allowed to make changes to the
                                                publishing the proposed rule.                           scientific data to support the temporary              proposed rule without allowing the
                                                   NPS Response: NPS has an obligation                  restrictions on taking black bears,                   public to review and comment on those
                                                to consult with tribes prior to making a                including cubs and sows with cubs,                    changes.
                                                decision that would have a substantial                  with artificial light at den sites, taking               NPS Response: The policy of the U.S.
                                                direct effect on federally-recognized                   brown bears over bait, and prohibiting                Department of the Interior is ordinarily
                                                tribes. Even though the NPS determined                  the take of wolves and coyotes during                 to provide at least 60 days for public
                                                that the proposed rule would not have                   the summer months. However, neither                   comment on any proposed rule that is
                                                a substantial direct effect on tribes, the              the temporary restrictions nor this rule              published in the Federal Register. Due
                                                NPS initiated consultation shortly after                are based on particular wildlife                      to the anticipated interest in this rule,
                                                publication of the proposed rule. The                   population levels, and do not require                 the NPS provided an initial comment
                                                NPS emailed a letter to tribes inviting                 the preparation of such scientific data.              period of 90 days so that the public
                                                them to consult and notifying them of                   The basis of the compendium                           would have additional time to consider
                                                two statewide conference calls                          provisions, as well as the rule, is the               the proposal and submit timely
                                                dedicated to tribal consultation in the                 NPS legal and policy framework, which                 comments. After the initial 90-day
                                                fall of 2014. No one provided comments                  has been communicated verbally and in                 comment period expired, the NPS
                                                or asked questions during the first call.               writing several times.                                received several requests to reopen the
                                                On the second call, four individuals                                                                          comment period to give the public more
                                                who serve as members of tribal councils                 Process for Publishing the Proposed                   time to review and prepare comments.
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                                                provided comments. Park managers also                   Rule                                                  Acknowledging the interest in this rule,
                                                contacted tribes with ties to the park                    4. Comment: Several comments stated                 the NPS agreed with these requests and
                                                areas by phone, email, and letter to                    that the NPS should give more weight                  reopened the comment period for an
                                                invite them to consult. NPS met in                      to comments on the proposed rule from                 additional 31 days. In total, the NPS
                                                person with three tribes that requested                 Alaskans than other members of the                    provided the public with 121 days to
                                                additional consultation. The NPS also                   public. Another comment urged the                     review and comment on the proposed
                                                provided information to affected                        NPS to increase cooperation and                       rule, and appreciates the thoughtful


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                                                64332             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                consideration and responses it received.                Therefore some level of take is                       prohibitions in State law: (1) Taking
                                                The NPS believes that the length of the                 appropriate and compatible with the                   swimming caribou or taking caribou
                                                combined public comment period was                      NPS legal and policy framework for                    from a motorboat while under power, in
                                                adequate and does not intend to reopen,                 Alaska national preserves. This rule                  GMUs 23 and 26; (2) black bear baiting;
                                                for a second time, the public comment                   does not prohibit all State-authorized                and (3) using dogs to hunt black bears.
                                                period.                                                 hunting and trapping. The vast majority               For the reasons explained herein, NPS
                                                  After considering public comments                     of State regulations are, and are                     believes these practices should also now
                                                and after additional review, the NPS                    expected to remain, compatible with the               be prohibited in national preserves.
                                                made certain changes to the proposed                    NPS management framework. Over the                       9. Comment: Some comments stated
                                                rule, which are described in the section                past several decades, only a handful of               that the hunting methods that would be
                                                below entitled ‘‘Changes from the                       State regulations have been superseded                prohibited by the proposed rule were
                                                Proposed Rule.’’ The changes are a                      by NPS regulations.                                   not intended to reduce predators but
                                                logical outgrowth of the proposed rule,                    The NPS believes that the standard in              were allowed by the BOG based on
                                                and were reasonably foreseeable by the                  the rule is a workable and limited                    requests from the Alaskans for
                                                public when the proposed rule was                       standard that satisfies our legal and                 additional harvest opportunity or to
                                                published. For example, the NPS                         policy framework and does not include                 authorize traditional practices. Other
                                                specifically requested comment on                       all actions that result in the harvest of             comments stated the NPS proposed rule
                                                taking black bears over bait in the                     wildlife. This rule provides that the NPS             would prefer predators over ungulates.
                                                proposed rule. This notified the public                 does not adopt State management                       Others supported the proposed rule
                                                that the proposed rule could change                     actions or laws or regulations that                   because it would prohibit harvest
                                                with respect to this issue after                        authorize taking of wildlife, which are               practices designed to reduce predators,
                                                consideration of public comment. Other                  related to predator reduction efforts,                which is inconsistent with NPS laws.
                                                changes to the proposed rule, such as                   meaning that they have the intent or                     NPS Response: The NPS
                                                requiring a public meeting before                       potential to alter or manipulate natural              acknowledges many of the harvest
                                                adopting a closure or restriction for                   predator-prey dynamics and associated                 practices recently authorized by the
                                                taking wildlife, are consistent with the                natural ecological processes, in order to             State were based in whole or in part on
                                                existing regulations at 36 CFR 13.50.                   increase harvest of ungulates by                      proposals from Alaskan hunters, some
                                                                                                        humans. The NPS acknowledges that                     of whom may also be federally-qualified
                                                Comments on Guiding Laws and                                                                                  subsistence users. However, the record
                                                                                                        the public would benefit from greater
                                                Regulations                                                                                                   shows some of these proposals and the
                                                                                                        clarity as to exactly which State laws
                                                   6. Comment: Some commenters stated                   and regulations are not adopted by the                decisions to act on them were based
                                                that NPS does not have the authority to                 NPS. As a result, the rule requires the               wholly or in part on a desire to reduce
                                                supersede State wildlife regulations,                   Regional Director to publish at least                 predator populations, and often far in
                                                while others requested the NPS clarify                  annually a list of all such laws and                  excess of any previous authorizations.
                                                its authority to preempt conflicting State              regulations not adopted in national                   Before the BOG authorized taking cubs
                                                regulations under the Property and                      preserves.                                            and sows with cubs at den sites, it had
                                                Supremacy Clauses of the Constitution.                                                                        only allowed this activity as part of a
                                                   NPS Response: Under the Property                     General Comments                                      predator control program. (Findings of
                                                and Supremacy Clauses of the U.S.                          8. Comment: Some commenters                        the Alaska Board of Game 2012–194–
                                                Constitution, State wildlife laws that                  objected to the NPS description that                  BOG, Board of Game Bear Conservation,
                                                conflict with NPS’s efforts to carry out                some of the harvest practices, such as                Harvest, and Management Policy,
                                                its statutory mandate are preempted.                    taking swimming caribou and hunting                   expiration June 30, 2016 (January 18,
                                                See, e.g. Kleppe v. New Mexico, 426 U.S.                caribou from a motorboat while under                  2012)). The State’s decision to expand
                                                529 (1976); Hunt v. United States, 278                  power, are ‘‘longstanding prohibited.’’               wolf and coyote seasons was based in
                                                U.S. 96 (1928); New Mexico State Game                      NPS Response: The harvest methods                  part on a desire to elevate survival rates
                                                Comm’n v. Udall, 410 F.2d 1197 (10th                    prohibited by this rule stem from                     of moose and caribou calves.
                                                Cir.), cert. denied, New Mexico State                   general hunting and trapping                             As explained in the background
                                                Game Comm’n v. Hickel, 396 U.S. 961                     restrictions in State law and regulation,             section of this rule, NPS management
                                                (1969); United States v. Brown, 552 F.2d                some of which have been relaxed in                    policies prohibit the manipulation of
                                                817 (8th Cir. 1977). Certain State-                     recent years in response to proposals to              wildlife populations, and require the
                                                authorized hunting and trapping                         the BOG. Some of these proposals to                   NPS to protect natural abundances,
                                                practices are not consistent with the                   relax hunting and trapping restrictions               distributions, densities, and populations
                                                NPS implementation of the NPS Organic                   were adopted in whole or in part to                   of wildlife. This rule does not favor
                                                Act and ANILCA. Consequently, the                       reduce predators. Three of these                      predators over ungulates, which would
                                                final rule is an appropriate exercise of                proposals removed longstanding                        also violate NPS management policies.
                                                the authority affirmed by the cases cited               prohibitions on harvest methods. In                   The rule is primarily focused on the
                                                above.                                                  response, the NPS prohibited these                    take of predators because the allowances
                                                   7. Comment: Several commenters                       methods on a temporary basis: (1)                     implemented by the State target
                                                questioned how any take of wildlife on                  Taking any black bear, including cubs                 predators, not ungulates. Even in these
                                                national preserve lands is permissible                  and sows with cubs, with artificial light             circumstances, the rule is consistent
                                                when regulations that may ‘‘alter the                   at den sites; (2) taking brown bears over             with NPS policy to allow for the
                                                natural predator/prey dynamics,                         bait; and (3) taking wolves and coyotes               fluctuation of natural populations of all
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                                                distribution, densities, age-class                      during the summer months. This rule                   species in national preserves, by
                                                distributions, populations, genetics or                 makes the temporary restrictions                      prohibiting the purposeful decrease of
                                                behavior of a species’’ are interpreted as              permanent. This rule also prohibits                   predator populations to achieve (or
                                                being incompatible with the laws and                    some additional practices that the NPS                attempt) an increase of ungulate
                                                policies of the National Park Service.                  acknowledges were not historically                    populations to benefit hunters.
                                                   NPS Response: ANILCA provides for                    prohibited. These practices, however,                    10. Comment: One commenter stated
                                                harvest of wildlife in national preserves.              existed only as exceptions to general                 the NPS misinterpreted the State


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                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                         64333

                                                sustained yield mandate in the                          the State methods, seasons, and bag                   have been prohibited by the NPS in
                                                proposed rule and requested the NPS                     limits are more liberal. To the extent                national preserves on a temporary basis
                                                clarify the State’s statutory definition to             that this harvest does not conflict with              through compendium actions, and are
                                                make it clear the State has authority to                NPS regulations applicable to sport                   now permanently prohibited by this
                                                manage for a variety of beneficial uses                 hunting, these opportunities are                      rule.
                                                of wildlife rather than only to support                 preserved. Any changes to federal                        The NPS also recognizes that some
                                                a high level of human harvest of                        subsistence regulations should be                     practices that are being prohibited for
                                                wildlife.                                               proposed to the Federal Subsistence                   ‘‘sport’’ hunters may be appropriate for
                                                   NPS Response: NPS acknowledges                       Board.                                                subsistence users. An example of this is
                                                that the State may have broader                            12. Comment: Some commenters                       taking swimming caribou. On NPS
                                                authorities and goals, but in general,                  objected to the use of the term ‘‘sport               lands, the take of swimming caribou for
                                                interpretation and clarification of State               hunting’’ in the proposed rule as                     subsistence is allowed in accordance
                                                law is a matter for the State. This rule                offensive and inaccurate in certain cases             with federal subsistence regulations, but
                                                ensures that taking of wildlife in                      such as when a federal subsistence user               it is not appropriate as a ‘‘sport’’
                                                national preserves is consistent with                   moves out of the area and is no longer                hunting practice on waters within
                                                federal laws and NPS policies that                      eligible to harvest under federal                     national preserves.
                                                require the NPS to manage national                      subsistence regulations.                                 14. Comment: Some commenters
                                                preserves for natural processes.                           NPS Response: The NPS understands                  stated the proposed rule would prohibit
                                                   11. Comment: Several commenters                      that some hunters who harvest wildlife                Alaska residents from participating in
                                                directly or indirectly commented on                     under State regulations are not hunting               State subsistence fisheries.
                                                State-authorized subsistence harvest of                 for recreation or ‘‘sport.’’ Sometimes                   NPS Response: This rule makes no
                                                fish and wildlife. Some commenters                      individuals who are harvesting under                  changes to fishing regulations other than
                                                suggested ANILCA authorizes State                       State regulations were once rural                     allowing the use of native species as bait
                                                subsistence separate from Title VIII                    residents but are no longer federally                 for fishing. Fishing in NPS units under
                                                subsistence. Some comments stated the                   qualified subsistence users. However,                 federal subsistence regulations must be
                                                proposed rule restricts subsistence uses                Congress used the term ‘‘sport                        in accordance with 36 CFR 13.470 and
                                                by Alaska Natives. Some commenters                      purposes’’ in ANILCA and it would be                  50 CFR part 100. Other noncommercial
                                                stated that federally qualified                         inappropriate for the NPS to allow                    fishing is authorized under 36 CFR
                                                subsistence users often prefer to harvest               harvest that is neither for ‘‘subsistence             13.40 and in accordance with the
                                                wildlife under State regulations because                purposes’’ nor for ‘‘sport purposes’’                 provisions of 36 CFR 2.3. To the extent
                                                the State regulations are more liberal                  under 16 U.S.C. 3201.                                 it is consistent with those regulations,
                                                than federal subsistence regulations and                   13. Comment: Some commenters                       State-authorized subsistence fishing is
                                                the Federal Subsistence Board                           supported the prohibition on the                      allowed within NPS units.
                                                regulatory process is cumbersome and                    methods of take in the proposed rule                     15. Comment: Some commenters
                                                takes too long. Conversely, some                        because they are unsporting or                        asserted that NPS does not have
                                                subsistence hunters voiced support for                  unethical; others stated the NPS should               authority to enact the proposed
                                                the proposed regulations as they do not                 not regulate ethics regarding wildlife                regulations and that the NPS actions are
                                                consider some of the methods                            harvest.                                              inconsistent with 16 U.S.C. 3114 and 16
                                                prohibited by this rule to be traditional                  NPS Response: Although the term                    U.S.C. 3125(3) of ANILCA.
                                                or consistent with natural processes and                ‘‘sport’’ is not defined in ANILCA, each                 NPS Response: This final rule is not
                                                population dynamics.                                    term in a statute is presumed to have                 promulgated under 16 U.S.C. 3114,
                                                   NPS Response: ANILCA, 16 U.S.C.                      meaning. Sportsmanship in hunting has                 which provides that subsistence take of
                                                3201, states that national preserves shall              more than a hundred years of tradition                fish and wildlife has priority over other
                                                be managed ‘‘in the same manner as a                    and meaning in the conservation                       uses when it is necessary to restrict the
                                                national park . . . except that the taking              movement in America. See John F.                      harvest of fish or wildlife to protect the
                                                of fish and wildlife for sport purposes                 Reiger, American Sportsmen and the                    viability of the population or to
                                                and subsistence uses, and trapping shall                Origin of Conservation (Winchester                    continue subsistence uses. The
                                                be allowed in a national preserve[.]’’                  Press 1975). When methods of harvest                  restrictions in this rule are not necessary
                                                Under ANILCA and in this rule, the                      go beyond traditionally accepted norms                to protect the viability of a population
                                                term ‘‘subsistence’’ refers only to                     of ‘‘sport’’ in hunting, they may fall                or to continue Title VIII subsistence
                                                subsistence activities authorized by                    outside of what Congress intended                     uses, nor do they affect subsistence uses
                                                Title VIII of ANILCA, which must                        when it authorized hunting in statutes                or priority. The NPS is promulgating
                                                comply with the federal subsistence                     like ANILCA. In some such cases, NPS                  this rule under the NPS Organic Act and
                                                regulations (among other things, they                   believes regulations may be needed to                 16 U.S.C. 3201, which provide NPS
                                                are restricted to rural Alaska residents).              curtail these activities that were never              with authority to restrict the taking of
                                                ANILCA did not authorize any separate                   intended to occur in units of the                     wildlife for sport purposes in national
                                                State subsistence activities. Take of                   National Park System. Such situations                 preserves for reasons of public safety,
                                                wildlife is authorized in national                      historically have been rare. Except for               administration, floral and faunal
                                                preserves only to the extent it is                      the prohibition of same-day airborne                  protection, or public use and enjoyment.
                                                consistent with either the federal                      hunting in 1995, the NPS has not                         Similarly, 16 U.S.C. 3125(3) does not
                                                subsistence regulations or with                         restricted the practices authorized by                apply to this rule. That provision
                                                regulations applicable to taking of                     the State through federal rulemaking                  provides that ‘‘[n]othing in this title
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                                                wildlife for ‘‘sport purposes.’’                        published in the CFR. There has,                      shall be construed as . . . authorizing a
                                                   The NPS acknowledges that some                       however, been a departure in recent                   restriction on the taking of fish and
                                                rural residents eligible to harvest                     years by the BOG, which has sought to                 wildlife for nonsubsistence uses . . .
                                                wildlife under federal subsistence                      advance the goals of increasing                       unless necessary for the conservation of
                                                regulations in NPS units also harvest                   harvested species by targeting predators.             healthy populations of fish and wildlife
                                                wildlife under State regulations in                     In order to comply with federal law and               . . . to continue subsistence uses of
                                                national preserves, particularly when                   NPS policy, these recent allowances                   such populations [.]’’ The phrase ‘‘this


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                                                64334             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                title’’ refers solely to Title VIII of                  (hereafter Senate Report 96–413). This is             assist the public to understand the
                                                ANILCA—this section does not apply to                   reflected in the statutory purposes of                impacts of the rule on sport harvest of
                                                16 U.S.C. 3201, which was enacted as                    various national preserves that were                  wildlife in national preserves. The
                                                part of Title XIII. This section thus does              established by ANILCA, which include                  public and visitors are encouraged to
                                                not preclude the NPS from authorizing                   the protection of populations of fish and             contact or visit the local NPS offices for
                                                restrictions under other titles in                      wildlife.                                             information or assistance.
                                                ANILCA (such as Title XIII) or other                       18. Comment: Some commenters                          21. Comment: One commenter
                                                federal laws (such as the NPS Organic                   stated the proposed rule includes                     opposed the prohibition on the take of
                                                Act), as is the case here.                              ambiguous terms and gives too much                    muskrats at pushups, adding that this
                                                   16. Comment: Some commenters                         discretion to park superintendents.                   practice has been authorized by the
                                                stated the NPS should limit hunting to                     NPS Response: The NPS believes the                 State since 1967 and that the practice is
                                                traditional harvest methods because                     actions the superintendents are                       not known to have caused conservation
                                                current technology could result in                      authorized to take in the rule are                    or user problems.
                                                overharvest. Commenters also stated                     consistent with federal law and are                      NPS Response: The proposed rule
                                                that resources should be allocated to                   comparable to the actions                             would have prohibited the take of
                                                most local users when harvest must be                   superintendents have long been                        muskrats at pushups, which is currently
                                                reduced.                                                authorized to take in similar                         authorized under State regulations. This
                                                   NPS Response: In consultation with                   circumstances. It also recognizes that                was not the NPS’s intent, and the final
                                                the State and the Federal Subsistence                   superintendents are the subject matter                rule has been modified to allow for this
                                                Board, the NPS will consider                            experts regarding management of the                   practice.
                                                restrictions on specific harvest practices              park unit and have been delegated                        22. Comment: One commenter stated
                                                on a case by case basis. In times of                    responsibility to take action and                     the allowance in the proposed rule for
                                                shortage ANILCA, 16 U.S.C. 3114,                        respond to changing circumstances that                using electronic calls to take big game
                                                provides priority to local subsistence                  may affect the values and resources of                (except moose) should be modified to
                                                users over others.                                      a park unit.                                          allow electronic calls for all game
                                                   17. Comment: Some commenters                            19. Comment: Some commenters                       (except moose).
                                                objected to the statement in the                        questioned the basis of the proposed                     NPS Response: The NPS agrees with
                                                proposed rule that management of                        rule because the NPS did not cite or                  the suggestion, which is consistent with
                                                wildlife on national preserves must                     provide evidence or data related to                   State law. The NPS has modified the
                                                protect natural processes, because                      wildlife population-level effects or any              rule accordingly.
                                                ANILCA calls for ‘‘healthy’’                            conservation concern.                                    23. Comment: Some commenters
                                                populations, not ‘‘natural’’ populations.                  NPS Response: As discussed above,                  objected to the practice of trapping and
                                                   NPS Response: Title VIII of ANILCA                   the rule is based on the NPS legal and                snaring generally due to the potential
                                                refers to conserving ‘‘healthy’’                        policy framework, which among other                   for user conflicts and safety concerns
                                                populations of wildlife on federal public               things ‘‘requires implementation of                   due to traps and snares on or near trails.
                                                lands in Alaska. ANILCA also states that                management policies which strive to                   Some commenters specifically objected
                                                nothing in the statute modifies or                      maintain natural abundance, behavior,                 to snaring bears. Some commenters said
                                                repeals any federal law governing the                   diversity and ecological integrity of                 trapping should not be allowed near
                                                conservation or protection of fish and                  native animals as part of their ecosystem             trails used by others in order to protect
                                                wildlife. The statute explicitly identifies             . . . .’’ Senate Report 96–413, at page               those visitors and their pets. Some
                                                the NPS Organic Act as one of those                     171. This rule is not based on particular             commenters said trappers should be
                                                federal laws. The NPS Organic Act                       wildlife population levels, and did not               required to identify their traps with
                                                requires the NPS to conserve the wild                   require the preparation of data on those              their name and contact information.
                                                life in units of the National Park System               levels. Rather the rule reflects the NPS                 NPS Response: ANILCA generally
                                                (including national preserves) and to                   responsibility to manage national                     allows for trapping (including snaring)
                                                provide for visitor enjoyment of the                    preserves for natural processes,                      in national preserves. Under this rule
                                                wild life for this and future generations.              including predator-prey relationships,                and adopted State law, there are
                                                54 U.S.C. 100101. Policies                              and responds to practices that are                    restrictions on animals that may be
                                                implementing the NPS Organic Act                        intended to alter those processes.                    trapped under a trapping license, types
                                                require the NPS to protect natural                         20. Comment: A couple of                           of traps, as well as restrictions on
                                                ecosystems and processes, including the                 commenters asked for clarification                    locations where traps may be set.
                                                natural abundances, diversities,                        about the harvest opportunities that                  Because pets are required to be leashed,
                                                distributions, densities, age-class                     would be prohibited by the proposed                   traps—even those set near trails—have
                                                distributions, populations, habitats,                   rule on a unit by unit basis.                         not been a concern historically. In the
                                                genetics, and behaviors of wildlife. NPS                   NPS Response: The NPS believes the                 event that trapping presents safety
                                                Management Policies 2006 §§ 4.1, 4.4.1,                 rule clearly describes the harvest                    concerns, the NPS will address those
                                                4.4.1.2, 4.4.2. The legislative history of              practices that are prohibited. All but                concerns on a case-by-case basis.
                                                ANILCA reflects that Congress did not                   three of these practices are already                     24. Comment: Commenters suggested
                                                intend to modify the NPS Organic Act                    prohibited by either NPS temporary                    there is an inconsistency between what
                                                in this respect: ‘‘the Committee                        actions or existing State law. The only               is being proposed for NPS lands in
                                                recognizes that the policies and legal                  currently allowed harvest practices that              Alaska and allowances in some Lower
                                                authorities of the managing agencies                    will be prohibited under this rule are                48 parks, including taking coyotes year-
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                                                will determine the nature and degree of                 taking caribou that are swimming or                   round.
                                                management programs affecting                           taking caribou from a motorboat while                    NPS Response: Units of the National
                                                ecological relationships, population’s                  under power (currently allowed in                     Park System are ‘‘united through their
                                                dynamics, and manipulations of the                      portions of Noatak, Gates of the Arctic,              interrelated purposes and resources into
                                                components of the ecosystem.’’ Senate                   and Bering Land Bridge National                       one National Park System,’’ and
                                                Report 96–413, Committee on Energy                      Preserves), black bear baiting, and using             managed in a manner ‘‘consistent with
                                                and Natural Resources at pages 232–233                  dogs to hunt black bears. The NPS will                and founded in the purpose established


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                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                        64335

                                                by’’ the NPS Organic Act, ‘‘to the                      refer to the practice of using                        Director places laws and regulations on
                                                common benefit of all the people of the                 snowmachines for lining caribou up for                this list. Other commenters stated this
                                                United States.’’ 54 U.S.C. 100101. But                  a shot. It should be clarified whether                provision is inconsistent with ANILCA
                                                units also are managed consistent with                  this practice is considered ‘‘herding.’’              and would give superintendents too
                                                their enabling statutes and other laws                     NPS Response: Paragraph (g)(4) of this             much discretionary authority.
                                                specifically applicable to those units,                 rule prohibits using an aircraft,                        NPS Response: The provision
                                                such as ANILCA. Hunting of any kind                     snowmachine, off-road vehicle,                        requiring the Regional Director to
                                                is generally prohibited in units of the                 motorboat, or other motor vehicle to                  identify State laws and regulations not
                                                National Park System, 36 CFR 2.2,                       harass wildlife, including chasing,                   adopted under paragraph (f) is designed
                                                except where specifically authorized by                 driving, herding, molesting, or                       to remove any ambiguity about which
                                                statute, as is the case for national                    otherwise disturbing wildlife. Using an               State-authorized activities are
                                                preserves in Alaska (as well as                         aircraft, snowmachine, or other motor                 prohibited on national preserves. The
                                                subsistence activities in other Alaska                  vehicle to ‘‘intercept’’ or ‘‘position’’              NPS does not believe that a hearing or
                                                units). In those units that do allow                    wildlife is prohibited by this provision,             public comment period is appropriate
                                                hunting, hunting seasons for particular                 because the wildlife would be (among                  for the annual list because these
                                                species generally vary from unit to unit                other things) harassed, chased, driven,               activities will be prohibited by
                                                and are often set by State law. When                    herded, molested, or otherwise                        paragraph (f)(2) without any further
                                                NPS sets seasons or other restrictions by               disturbed by the use of the aircraft,                 action by the NPS or the Regional
                                                regulation, it does so case by case, based              snowmachine, or motor vehicle. As a                   Director. The purpose of the list is to
                                                on the resource and management needs                    result, the NPS does not believe it is                inform the public about which laws and
                                                of the particular unit.                                 necessary to revise the proposed rule to              regulations are not adopted by the NPS
                                                   25. Comment: Some commenters                         specifically prohibit ‘‘intercepting’’ or             so that there is no confusion about what
                                                suggested that the rule should prohibit                 ‘‘positioning’’ wildlife as these activities          is allowed in national preserves. The list
                                                the more subtle means of affecting the                  are already covered by the rule.                      is expected to change only to the extent
                                                natural functioning ecosystem, such as                     28. Comment: Some commenters                       the State authorizes new predator
                                                hunters not being required to obtain tags               stated the NPS should also address bag                reduction activities that otherwise
                                                or permits for predators, same-day                      limits for certain species, such as                   would affect national preserves. The
                                                airborne hunting and trapping, and sale                 wolves.                                               overall goal of this provision is to
                                                of raw hides and skulls.                                   NPS Response: The NPS generally                    maintain the traditional status quo and
                                                   NPS Response: Many of the activities                 believes bag limits are more                          prevent the introduction of new
                                                described by the commenter are already                  appropriately addressed through the                   predator reduction activities in national
                                                prohibited under federal regulations.                   State regulatory process and Federal                  preserves.
                                                For example, same-day airborne hunting                  Subsistence Program in conjunction                       ANILCA allows the Secretary of the
                                                of big game animals, arctic fox, red fox,               with harvest information and                          Interior (acting through the NPS) to
                                                or lynx is not allowed on NPS lands.                    population data. Should bag limits                    restrict sport hunting and trapping in
                                                Additionally, sale of raw hides and                     become a concern in the future, the NPS               national preserves after consultation
                                                skulls is not allowed under existing NPS                will work with the State and the Federal              with the State of Alaska, and does not
                                                regulations. The NPS has not identified                 Subsistence Board as appropriate.                     diminish the authority of the Secretary
                                                a need for NPS-issued tags and permits                     29. Comment: Some commenters                       of the Interior over the management of
                                                and consequently has not required                       objected to prohibiting the harvest                   public lands. See the Background
                                                harvest permits and tags beyond those                   methods identified in the proposed rule               section of this final rule for more
                                                required by State regulations and federal               as unnecessary since they duplicate                   information about NPS authority to
                                                subsistence regulations.                                State regulations already in effect or                promulgate this rule. The NPS believes
                                                   26. Comment: One commenter said                      would eliminate harvest opportunities                 that compiling and annually updating a
                                                that while ungulates will probably                      for Alaskans.                                         list of the activities prohibited by
                                                remain the focus of the State’s intensive                  NPS Response: The NPS affirms                      paragraph (f) is consistent with the
                                                management program, it is conceivable                   current State prohibitions on harvest                 statutory authority provided to the NPS
                                                that another species could become the                   methods by codifying them as federal                  for the management of national
                                                focus in the future due to fads or                      law. Should exceptions to these State                 preserves.
                                                economic interests. The commenter                       prohibitions be made in the future, the
                                                suggested that NPS needs the flexibility                NPS will consider whether to adopt the                Taking Bears Over Bait
                                                to include additional species when                      same exceptions for national preserves.                 31. Comment: Some commenters
                                                necessary to provide for naturally                      The majority of existing harvest                      stated that the practice of baiting black
                                                functioning ecosystems.                                 opportunities provided under State law                bears and brown bears is appropriate
                                                   NPS Response: While naturally                        will still be available for hunters in                because it will not have adverse
                                                functioning ecosystems include natural                  national preserves.                                   ecological or public safety effects.
                                                diversity and abundances of native                                                                            Others commented that baiting black
                                                wildlife populations, the NPS does not                  Annual List of Harvest Regulations Not                bears and brown bears should be
                                                believe it is necessary to modify the                   Adopted                                               prohibited because it may create public
                                                proposed rule to address this concern.                    30. Comment: Some commenters                        safety issues, food-conditioned bears, or
                                                Should the issue arise in the future, the               objected to the provision in the                      impact natural populations or processes.
                                                NPS will work with the State and                        proposed rule requiring the Regional                    NPS Response: The NPS proposed
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                                                consider appropriate action at that time.               Director to compile an annual list of                 prohibiting the harvest of brown bears
                                                   27. Comment: One commenter                           State laws and regulations that are not               over bait to avoid public safety issues,
                                                suggested adding ‘‘intercepting’’                       adopted in national preserves because                 to avoid food conditioning bears and
                                                wildlife to the list of prohibited actions              they are aimed at reducing predators.                 other species, and to maintain natural
                                                that cannot be taken by an aircraft,                    Some comments suggested that the NPS                  bear behavior as required by the NPS
                                                snowmachine, or other motor vehicle.                    hold public hearings and a public                     legal and policy framework. By design,
                                                Also, the term ‘‘positioning’’ is used to               comment period before the Regional                    baiting typically uses human or pet food


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                                                64336             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                to alter the natural behavior of bears to               provided the remains are not moved. To                by the Federal Subsistence Board. The
                                                predictably attract them to a specific                  the extent the practice of baiting bears              final rule maintains the proposed
                                                location for harvest. Land and wildlife                 is a customary and traditional practice               prohibition on using artificial light to
                                                management agencies strive to eliminate                 by rural residents, those uses may be                 take wildlife, subject to certain
                                                the feeding of bears through individual                 authorized for Federally qualified rural              exceptions.
                                                and collective educational efforts, due                 residents pursuant to regulations
                                                                                                                                                              Using Dogs To Hunt Black Bears
                                                to the increased likelihood that food-                  adopted by the Federal Subsistence
                                                conditioned bears are killed by agency                  Board.                                                   35. Comment: In response to a
                                                personnel or the public in defense of life                 The NPS recognizes that the number                 question in the proposed rule, some
                                                or property. Food-conditioned bears are                 of bears harvested over bait in national              commenters supported the use of
                                                also believed more likely to cause                      preserves may not be large. However,                  unleashed dogs to hunt black bears
                                                human injury. To that end, NPS                          this provision is not based on how many               pursuant to a State permit. Some
                                                regulations prohibit feeding wildlife and               bears are harvested or whether that                   commenters stated that the use of dogs
                                                the practice of baiting is at odds with                 harvest would impact bear population                  to hunt black bears has been allowed
                                                this.                                                   levels. It is based on the legal and policy           since 1970 and is not historically illegal.
                                                   Because the concerns presented by                    framework that governs national                       Other commenters opposed the use of
                                                taking brown bears over bait also apply                 preserves and calls for maintaining                   dogs to hunt black bears. These
                                                to black bear baiting, the NPS requested                natural ecosystems and processes and                  comments stated that this activity
                                                public comment on whether taking                        minimizing safety concerns presented                  would increase stress and trauma for the
                                                black bears over bait should be allowed                 by food-conditioned bears.                            dogs and bears, reduce bear populations
                                                to continue on national preserves. After                   33. Comment: One commenter                         in national preserves, disrupt the
                                                reviewing public comment, the NPS has                   recommended the definition of bait                    natural balance of predator-prey
                                                decided to prohibit taking black bears                  exclude legally taken fish and that bait              dynamics, alter bear feeding patterns,
                                                over bait in national preserves. This                   should exclude legally taken wildlife                 harass other wildlife, transmit diseases
                                                decision is consistent with State                       that is not required to be salvaged under             to wildlife, interfere with other sport
                                                regulations applicable to Denali State                  federal as well as State law. A comment               and subsistence hunters, and be
                                                Park, where taking of wildlife is                       was received that game that died of                   dangerous for the dogs and humans in
                                                authorized but taking black bears over                  natural causes should not be considered               the area (including by driving bears into
                                                bait is prohibited (see 2014–2015 Alaska                bait.                                                 roadways and onto private property).
                                                Hunting Regulations, p. 27 and 78 and                      NPS Response: The NPS has modified                 Several comments stated that dogs used
                                                5 AAC 92.044 for game management                        the definition of bait in a manner that               for hunting roam over large portions of
                                                units where the practice is authorized).                excludes native fish, consistent with                 the land, often out of the sight and
                                                   Bait stations tend to be located in                  State law. Upon review, the NPS                       control of their handlers. Some
                                                accessible areas due to the infrastructure              determined it is not necessary to                     comments stated that this activity is
                                                (typically a 55 gallon drum) and                        reference State or federal law regarding              unethical, unsportsmanlike, and does
                                                quantity (including weight) of bait used                salvage requirements in the definition of             not have a traditional or cultural basis
                                                to engage in this activity and the                      bait. The result is that parts of legally             in Alaska. Other comments stated that
                                                frequency with which the stations must                  taken fish or wildlife that are not                   dogs are often used to ‘‘tree’’ bears,
                                                be replenished. Because of the                          required to be salvaged are not                       which makes it difficult to determine
                                                accessibility of these areas, they are                  considered bait if the parts are not                  the sex of the bear and could result in
                                                typically used by multiple user groups,                 moved from the kill site. The rule                    the killing of females with cubs.
                                                which contributes to the public safety                  excludes from the definition of bait                     NPS Response: Commenters are
                                                concerns associated with baiting.                       game that died of natural causes, if not              correct that using dogs to hunt black
                                                Although there are State regulations that               moved from the location where it was                  bears is not ‘‘historically illegal.’’ While
                                                prohibit bait stations within a certain                 found.                                                State of Alaska law generally prohibits
                                                distance of structures (cabins/                                                                               taking big game with the aid or use of
                                                residences), roads, and trails, these                   Taking Black Bears With Artificial Light              a dog, there is an exception for using a
                                                distances lack biological significance                  at Den Sites                                          dog to take black bears pursuant to a
                                                relative to bears, whose home ranges                       34. Comment: Some comments stated                  non-transferable permit issued by the
                                                can include tens to hundreds of square                  that the use of artificial light to aid the           ADF&G. The NPS agrees that this
                                                miles.                                                  harvest of black bears in dens should be              practice could have some of the adverse
                                                   32. Comment: Some commenters                         allowed to ensure proper species                      impacts suggested by commenters who
                                                stated that bear baiting should be                      identification, prevent take of cubs or               oppose the practice. The NPS also
                                                allowed in national preserves because it                sows with cubs, and facilitate a human                believes the use of unleashed dogs to
                                                is a historical practice that predates the              shot placement. Others commented that                 hunt black bears is one of the practices
                                                establishment of national preserves and                 the use of artificial light to aid the                that is inconsistent with the traditional
                                                it a customary practice by many                         harvest of black bears in dens should be              ‘‘sport hunting’’ that is authorized by
                                                Alaskans. Commenters also stated the                    prohibited due to effects on ecological               ANILCA, as discussed above. The rule
                                                practice should be allowed because the                  processes and populations and the                     generally prohibits taking big game with
                                                amount of take is or would be small.                    potential for dangerous orphaned cubs.                the aid of use of a dog. The proposed
                                                   NPS Response: According to                              NPS Response: Although artificial                  rule has been modified to eliminate an
                                                information provided by the State of                    light may, in some cases, aid the harvest             exception that would have allowed the
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                                                Alaska, harvest of black bears over bait                of black bears in dens by assisting with              use of dogs to harvest black bears under
                                                was authorized by State regulations in                  species identification and shot                       a State permit.
                                                1982. The creation of all NPS areas in                  placement, the NPS does not support                      36. Comment: Some commenters
                                                Alaska preceded this date. Harvest of                   authorizing this practice for sport                   supported the use of unleashed dogs to
                                                bears over the remains of legally-                      hunting in national preserves. For rural              hunt ‘‘problem animals’’ and the use of
                                                harvested animals not required to be                    subsistence users, the NPS believes this              leashed dogs to hunt wounded black
                                                salvaged will continue to be lawful                     matter is more appropriately addressed                bears.


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                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                       64337

                                                  NPS Response: There is no allowance                   paradigm of State and federal managers,               only federally qualified subsistence
                                                in State law to use unleashed dogs to                   rather than adopting recently liberalized             users to hunt within certain national
                                                hunt ‘‘problem animals.’’ Current State                 State regulations that lengthen the                   parks and monuments in Alaska.
                                                law allows use of a single, leashed dog                 hunting seasons. Should wolf or coyote                   42. Comment: Several commenters
                                                in conjunction with tracking and                        population levels become a concern in                 opposed the prohibition on the take of
                                                dispatching a wounded big game                          the future, the NPS will work with the                swimming caribou, stating that it would
                                                animal, including black bear. The intent                State and consider appropriate action at              prevent those who no longer live in
                                                of the leash requirement is to ensure                   that time.                                            rural Alaska from harvesting foods in a
                                                that native wildlife are not pursued,                     39. Comment: Some commenters                        traditional manner. Commenters stated
                                                harassed, or killed by unleashed dogs                   stated that coyotes are not native to                 that former residents would not be
                                                and to prevent any contact between                      Alaska.                                               allowed to return to hunt or to assist
                                                native wildlife and domestic dogs. The                    NPS Response: Coyotes are native to                 elders with hunting in traditional ways.
                                                State-authorized use of a single, leashed               North America, and while coyotes may                  Other commenters supported the
                                                dog in conjunction with tracking and                    not have historically occupied all of                 proposed prohibition of taking caribou
                                                dispatching a wounded big game animal                   their current range, their expansion                  while swimming, noting that it is
                                                will remain authorized in national                      most likely occurred through natural                  unsporting and not consistent with fair
                                                preserves. The NPS will take                            processes. Consequently, the NPS                      chase.
                                                appropriate action to protect the safety                manages coyotes in the same manner as                    NPS Response: The NPS recognizes
                                                of park visitors and other wildlife from                other native species consistent with                  that taking caribou while swimming is
                                                problem animals, such as bears.                         NPS Management Policies (§§ 4.1, 4.4.1,               a customary and traditional subsistence
                                                  37. Comment: Some commenters                          4.4.1.2, 4.4.2).                                      practice in some areas of the State. The
                                                supported using sled dogs to travel to                    40. Comment: A few commenters                       NPS supports continuation of this
                                                and from hunting and trapping areas, in                 questioned whether wolf pelts taken                   practice under federal subsistence
                                                search of game, and to haul out taken                   during the denning season have limited                regulations in NPS units. The NPS also
                                                game, but not to chase wildlife.                        value.                                                agrees with the comment that the
                                                  NPS Response: Sled dogs are allowed                     NPS Response: The NPS understands                   practice of taking caribou while
                                                under 16 U.S.C. 3121(b) of ANILCA for                   that some individuals may have uses for               swimming is not consistent with fair
                                                subsistence uses and under 16 U.S.C.                    wolf pelts that are harvested outside the             chase and thus believes it is not
                                                3170(a) of ANILCA for other traditional                 normal trapping season. This rule,                    appropriate to allow as a sport hunting
                                                activities, unless prohibited or restricted             however, protects wolves during the                   practice. Although former local
                                                on a site specific basis. There are                     denning season when they are                          residents who no longer qualify to hunt
                                                currently no prohibitions or restrictions               vulnerable. The rule preserves the                    under federal subsistence regulations
                                                on this activity in areas where hunting                 opportunity to harvest wolves when the                will not be able to engage in such
                                                and trapping are authorized. Herding,                   pelts are thicker for cold winter                     subsistence harvests, they may
                                                harassing, hazing, or driving wildlife is               temperatures. A pelt that has begun to                participate in other aspects of the
                                                prohibited under NPS regulations. This                  shed out for summer is thinner, may                   traditional practice.
                                                includes ‘‘chasing’’ wildlife.                          become patchy, and for these reasons is
                                                                                                        not generally considered as valuable.                 Obstruction of Hunting
                                                Wolves and Coyotes
                                                                                                                                                                 43. Comment: Some commenters
                                                   38. Comment: Several commenters                      Swimming Caribou
                                                                                                                                                              opposed the proposed prohibition on
                                                supported the limitations on taking                       41. Comment: One commenter stated                   obstructing hunting activities as
                                                wolves and coyotes in the proposed                      that the proposed prohibition on taking               unnecessary or providing special
                                                rule, and suggested additional                          swimming caribou would be difficult to                treatment to hunters. Others questioned
                                                protections such as extending the                       enforce because the harvest                           the need for the provision because it is
                                                duration of the no-take period and                      opportunities are along the river’s edge              already in State law.
                                                imposing bag limits. These comments                     and animals often fall in the low spots                  NPS Response: In the past, the NPS
                                                were concerned about hunting pressure,                  or the water. Another commenter                       has received reports of individuals
                                                declining populations, and protecting                   supported the prohibition, noting that                actively attempting to obstruct others
                                                pregnant females to avoid orphaned                      there are sufficient opportunities for                from hunting. While this conduct is
                                                pups and unsuccessful rearing. Other                    sport hunters to harvest caribou on land.             prohibited under State law, it is not
                                                commenters opposed the limitations on                     NPS Response: NPS agrees that there                 currently prohibited under NPS
                                                taking wolves and coyotes in the                        are adequate opportunities for sport                  regulations. Consequently, in the event
                                                proposed rule, and suggested additional                 hunters to harvest caribou on land.                   of a violation of this type in a national
                                                allowances for taking these species,                    Although there may be a few situations                preserve, only the State could take
                                                including adoption of the State hunting                 where it is difficult to tell whether a               enforcement action. This rule allows the
                                                seasons. Several commenters stated that                 caribou was taken while swimming, the                 NPS also to take enforcement action.
                                                extended hunting seasons for wolves                     NPS believes that the prohibition will                This protects the lawful rights of
                                                and coyotes allow for a traditional form                be enforceable. Also, under existing                  hunters in national preserves, but does
                                                of hunting specifically authorized under                State regulations, this practice is limited           not afford them special treatment above
                                                the State subsistence program, and are                  to waters in GMUs 23 and 26. Noatak,                  what they are currently entitled to by
                                                not meant to be predator control.                       Gates of the Arctic, and Bering Land                  State law.
                                                   NPS Response: The rule prohibits                     Bridge are the only national preserves
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                                                taking wolves and coyotes from May 1                    within these GMUs. To the extent                      Bait for Fishing
                                                through August 9. These dates reflect                   individuals who are not federally                        44. Comment: Commenters generally
                                                previously longstanding State harvest                   qualified subsistence users engage in                 supported using native species as bait
                                                seasons that provided harvest                           this activity elsewhere (e.g., Onion                  for fishing. Some commenters suggested
                                                opportunities while maintaining viable                  Portage within Kobuk Valley National                  the species used should be obtained
                                                wolf and coyote populations. The rule                   Park), such use is not authorized under               from the waters being fished to avoid
                                                maintains the decades-old management                    existing NPS regulations, which allow                 introducing a species that is native to


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                                                64338             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                Alaska but not native to a particular                   provision adopting non-conflicting State              provision cited was 16 U.S.C. 3202.
                                                watershed.                                              laws for subsistence harvest of fish and              That section contains general savings
                                                   NPS Response: The NPS agrees that                    wildlife. A comment also suggested                    provisions preserving the Secretary’s
                                                bait species should be limited to those                 adding several provisions to the                      authority to manage public lands and
                                                native to Alaska, but does not believe                  subsistence closure procedures in 36                  preserving the State’s non-conflicting
                                                that allowing the use of species not                    CFR 13.490, including consultation with               authority to manage fish and wildlife on
                                                native to a particular watershed poses a                various stakeholders, holding public                  those lands. Nothing in that section is
                                                risk that new species will be introduced                hearings in the affected vicinity, and                specifically relevant to the closure and
                                                into that watershed. Existing State and                 holding hearings in coordination with                 restriction provisions of 36 CFR 13.50;
                                                federal regulations already prohibit the                other meetings.                                       accordingly the NPS finds no conflict
                                                use of live fish for bait in fresh water,                  NPS Response: The existing provision               between ANILCA and these procedural
                                                and using dead fish or unfertilized eggs                that adopts non-conflicting State laws is             updates.
                                                removed from a harvested fish will not                  not necessary due to the assumption by                  49. Comment: Some commenters
                                                result in the introduction of new species               the Federal Subsistence Board of                      stated the proposed rule would give too
                                                that are not native to a particular                     regulatory authority over Title VIII                  much authority to the superintendents
                                                watershed. In marine waters, existing                   subsistence harvest of fish and wildlife.             to adopt restrictions, specifically on
                                                regulations already require that any fish               Federal subsistence regulations, which                taking of fish or wildlife for sport
                                                used for bait come from the same waters                 apply in NPS units where Title VIII                   purposes. Some commenters stated that
                                                being fished.                                           subsistence is allowed, include                       closures or restrictions must be based
                                                   45. Comment: One commenter                           regulatory language that adopts non-                  upon demonstrated biological
                                                supported allowing bait for fishing but                 conflicting State laws. The provision in              considerations (e.g., wildlife population
                                                stated the rule is not necessary because                36 CFR 13.490 is no longer necessary                  data).
                                                State regulations that allow bait apply to              and will be removed by this rule.                       NPS Response: Federal statutes,
                                                NPS units.                                                 Upon review of comments and                        including ANILCA, provide the NPS
                                                   NPS Response: Section 13.40(b)                       considering the practices of the Federal              with substantial discretion in managing
                                                provides that fishing must be consistent                Subsistence Board, the NPS agrees with                units of the National Park System.
                                                with 36 CFR 2.3. Section 2.3 prohibits                  the recommendation to retain the                      Generally, National Park System
                                                the use of live or dead minnows or other                language providing for consultation                   regulations need only be ‘‘necessary or
                                                bait fish, amphibians, nonpreserved fish                with the State prior to the NPS                       proper for the use and management of
                                                eggs or fish roe as bait for fishing in                 implementing closures to subsistence                  System units.’’ 54 U.S.C. 100751. With
                                                fresh waters, along with methods other                  take of fish and wildlife. Because                    respect to sport hunting in national
                                                than hook and line. Consequently this                   harvest is regulated by the Federal                   preserves in Alaska, Congress
                                                rule is necessary to allow the use of                   Subsistence Board, the NPS has                        authorized the NPS to restrict these
                                                native species of fish or fish eggs as bait             modified the proposed rule to also                    activities for reasons of ‘‘public safety,
                                                for fishing.                                            include consultation with the Federal                 administration, floral and faunal
                                                   46. Comment: Some commenters                         Subsistence Board.                                    protection, or public use and
                                                supported the intent to allow bait for                     Finally, for consistency with 36 CFR               enjoyment.’’ 16 U.S.C. 3201. The NPS
                                                fishing since it is a common practice                   13.50, which was modified based upon                  thus is not required to base its
                                                and commonly allowed in Alaska, but                     comments (addressed below), the rule                  management decisions regarding these
                                                said it would create confusion on waters                has been modified to specify that public              restrictions only on biological
                                                where the State has prohibited bait.                    hearings will be held near the affected               considerations. The rule maintains the
                                                These commenters also noted the State                   park unit (rather than the ‘‘affected                 superintendent’s long established
                                                allows many forms of bait that would                    vicinity’’) prior to implementing the                 authority to make management
                                                not be considered native species, such                  management action in nonemergency                     decisions for NPS units based upon a
                                                as natural or synthetic scents, and                     situations.                                           variety of criteria. The NPS plans to
                                                natural or processed vegetable matter.                                                                        continue to require review of all
                                                   NPS Response: NPS regulations adopt                  Updating Closure and Restriction                      proposed closures and restrictions at the
                                                non-conflicting State regulations. Under                Procedures                                            regional level.
                                                existing NPS regulations, the use of bait                  48. Comment: Some commenters                         50. Comment: Some commenters were
                                                is allowed in accordance with State law                 objected to the changes in 36 CFR 13.50               concerned that the proposed changes to
                                                under 36 CFR 2.3 except for the use of                  as inconsistent with ANILCA or not                    36 CFR 13.50 would limit Alaskans’
                                                fish, amphibians or their eggs. This rule               appropriate for Alaska.                               ability to comment on potential closures
                                                allows the use of native fish,                             NPS Response: The changes to 36 CFR                and restrictions on NPS-managed areas
                                                amphibians, and their eggs as bait if                   13.50 bring procedures for                            by shortening the comment period,
                                                authorized by the State. If the State does              implementing closures and restrictions                soliciting comments from non-residents
                                                not allow the use of these types of bait                more in line with procedures that apply               of Alaska, and reducing the number of
                                                in waters within NPS areas, State law                   to the entire National Park System                    public meetings.
                                                will govern and the use of native fish,                 under 36 CFR 1.5, as well as procedures                 NPS Response: While hearings are
                                                amphibians, and their eggs as bait will                 used by Alaska State Parks. 11 AAC                    required in certain circumstances (e.g.,
                                                not be allowed.                                         12.355. The public will benefit from                  restricting subsistence harvest of fish or
                                                                                                        aligning procedures with other NPS                    wildlife under Title VIII of ANILCA or
                                                Updating Federal Subsistence                            units as well as Alaska State Parks. This             access authorized under 16 U.S.C.
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                                                Regulations                                             consistency will enable the public to                 3170(a)), there is no statutory
                                                  47. Comment: Some commenters                          more effectively engage managers                      requirement to take public comment on
                                                opposed removal of regulatory language                  regarding their uses of the public lands              closures or restrictions that are not
                                                providing for consultation with the                     and the resources on them.                            required to be published in the Federal
                                                State regarding potential closures to                      While commenters referred generally                Register. The NPS believes, however,
                                                subsistence harvest of fish and wildlife.               to the proposed changes as being                      that public involvement is an important
                                                A suggestion was made to retain the                     inconsistent with ANILCA, the only                    component of managing NPS units.


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                                                                  Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                        64339

                                                Alaskans and all Americans have an                      submitted electronically or by mail or                that the NPS will engage the public
                                                important say in how these national                     hand delivery. This will give Alaskans                using social media exclusively.
                                                interest lands are managed.                             and other Americans an opportunity to                   NPS Response: The NPS
                                                Accordingly, except in emergencies, the                 provide meaningful input on these                     acknowledges that some individuals,
                                                rule requires an opportunity for public                 management actions.                                   especially in rural Alaska, may not have
                                                comment, including holding at least one                    52. Comment: Some comments                         reliable internet access or may prefer
                                                public meeting near the affected NPS                    suggested the NPS provide public notice               other methods of communicating with
                                                unit, prior to adopting a closure or                    and hold a hearing prior to adopting                  the NPS. The methods of providing
                                                restriction related to taking fish or                   emergency closures relating to fish and               notice in the rule are consistent with
                                                wildlife. The changes to § 13.50 will not               wildlife.                                             NPS practices in place in Alaska for
                                                limit any existing opportunities,                          NPS Response: Although the NPS                     more than a decade. The primary
                                                including public meetings, for Alaskan                  supports providing the public with a                  method of notifying the public of
                                                residents to comment on proposed                        meaningful opportunity to comment, in                 closures or restrictions has been posting
                                                closures and restrictions for NPS units                 certain circumstances action may be                   notice online and disseminating press
                                                in Alaska. The NPS posts online                         necessary to protect wildlife or public               releases by email. It has been the
                                                proposed closures and restrictions for                  safety before there is an opportunity for             practice for the NPS to invite public
                                                NPS units in Alaska and invites public                  public comment or a hearing. The NPS                  comment through electronic means as
                                                comment on them. The NPS intends to                     will provide appropriate notice of                    well as by mail or hand delivery. The
                                                continue this practice.                                 emergency closures and restrictions in                majority of public comments are
                                                   51. Comment: Some commenters                         accordance with the provisions of 36                  received electronically. The NPS will
                                                objected to removing the requirement                    CFR 13.50.                                            continue to accept written comments
                                                that the NPS hold a hearing before                         53. Comment: Some commenters                       through electronic and traditional
                                                implementing closures or restrictions on                stated the proposed rule would                        means (mail or hand delivery). The NPS
                                                taking of fish and wildlife for sport                   eliminate a requirement to do written                 will also use other notification
                                                purposes. Some were concerned that the                  determinations stating the basis for                  procedures such as posting in local post
                                                NPS would cease meeting with local                      closures, restrictions, and other                     offices and other public places when
                                                communities or that the change would                                                                          practical. Individuals may also request
                                                                                                        designations.
                                                give superintendents too much                                                                                 copies of the park compendium and
                                                                                                           NPS Response: Although the
                                                discretion to decide whether to meet                                                                          other NPS documents by mail or in
                                                                                                        procedures in 36 CFR 1.5(c) require a
                                                with local communities. Some                                                                                  person. Social media is a valuable tool
                                                                                                        written determination of need
                                                commenters stated the NPS should not                                                                          to inform as well as engage a certain
                                                                                                        explaining the reasons for closures or
                                                consider the time or expense to the                                                                           segment of the public, but it is not, and
                                                                                                        restrictions on public use, the current               will not be, the only way the NPS
                                                government or anticipated number of
                                                attendees in determining whether to                     procedures in § 13.50 do not. The NPS                 engages and communicates with the
                                                hold public hearings.                                   however, has provided such                            public. The NPS believes that using the
                                                   NPS Response: The proposed rule                      determinations for all proposed closures              internet will make it easier for some
                                                would have replaced the existing                        and restrictions in NPS units in Alaska               segments of the American public,
                                                regulatory requirement to hold a hearing                to better inform the public about the                 regardless of residency, to provide input
                                                in the affected vicinity with a                         reasons for its decisions. This comment               on proposed management actions for
                                                requirement to provide an opportunity                   highlights the complexity regarding the               NPS units in Alaska. This is appropriate
                                                for public comment, which could                         various procedural regulations that                   because National Park System units are
                                                include a written comment period,                       currently apply to NPS units in Alaska.               federal lands that are protected and
                                                public meeting, public hearing, or a                    The NPS believes it is in the public’s                preserved for all Americans.
                                                combination thereof. After reviewing                    interest to streamline procedures as                    55. Comment: Some commenters
                                                comments and considering the similar                    much as possible in order to make them                suggested that the proposed rule should
                                                procedures used by the BOG and the                      more consistent. This will make it easier             provide opening procedures.
                                                Federal Subsistence Board, the NPS                      for the public to be involved in NPS                    NPS Response: The procedures in the
                                                modified the proposed rule to add a                     decision-making in Alaska.                            rule apply to the termination and
                                                requirement to hold one or more public                  Accordingly, the NPS has decided to                   relaxation of closures and restrictions,
                                                meetings near the affected park unit                    apply the procedures of 36 CFR 13.50,                 which includes actions that open areas
                                                prior to implementing a closure or                      as revised in this rule, to all closures              and allow activities that had been
                                                restriction on taking fish and wildlife in              and restrictions in NPS units in Alaska               closed or restricted.
                                                national preserves, except in the case of               unless a more specific regulation in part               56. Comment: Some commenters
                                                emergencies. The NPS will attempt to                    13 provides otherwise (i.e., 36 CFR                   suggested retaining the distinction
                                                hold public meetings in conjunction                     13.490 pertaining to closures to                      between permanent and temporary
                                                with other events, like Subsistence                     subsistence harvest of fish and wildlife).            restrictions. These commenters
                                                Resource Commission meetings, when                      These revised procedures that apply to                recommend temporary restrictions be
                                                possible. The NPS will consider holding                 all NPS units in Alaska require a written             limited to 12 months and rulemaking be
                                                more than one public meeting                            determination explaining the basis of                 required for all permanent restrictions
                                                depending the nature of the action, local               the restriction.                                      or those restrictions in place longer than
                                                interest, and other opportunities for                      54. Comment: Some commenters                       12 months. Other comments stated the
                                                engagement. The rule will also require                  objected to utilizing web-based tools for             existing 30-day limitation on emergency
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                                                the NPS to continue the current practice                information sharing and taking public                 closures should be retained with no
                                                of providing an opportunity for public                  comment since not all Alaskans have                   extensions.
                                                comment prior to implementing                           reliable internet. Other commenters                     NPS Response: The categories
                                                proposed closures and restrictions                      objected to using the internet because it             distinguishing permanent and
                                                related to taking fish and wildlife. The                is easier for individuals outside Alaska              temporary closures or restrictions have
                                                NPS intends to continue its current                     to provide input. Some commenters                     been problematic and difficult to
                                                practice of accepting written comments                  interpreted the proposed rule to imply                implement, as noted by the State and


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                                                64340             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                others during the annual compendium                     State and public comment (including a                 conservation, threatens the conservation
                                                review process on several occasions.                    public meeting)—if the emergency                      of healthy population of wildlife . . . is
                                                Under current regulations, closures or                  persists. The NPS believes the public                 contrary to the purposes for which the
                                                restrictions in place for more than 12                  will benefit from this consistency with               park or park monument is established,
                                                months must be implemented by                           respect to emergency closures or                      or would be detrimental to the
                                                rulemaking and cannot be extended,                      restrictions on taking of fish or wildlife.           satisfaction of subsistence needs of local
                                                regardless of significance or public                    Other emergency actions will have no                  residents.’’ While Subsistence Resource
                                                interest. The result of this structure is               explicit expiration date and may exist                Commissions provide valuable input on
                                                that the NPS must repropose and reissue                 until the emergency is resolved. This is              multiple topics that affect national
                                                temporary closures or restrictions each                 consistent with regulations for NPS                   parks, monuments, and national
                                                year, even in circumstances where there                 units located outside of Alaska and for               preserves, the Subsistence Resource
                                                is little public interest in the action, or             Alaska State Parks.                                   Commission’s statutory charge is
                                                where the action is an insignificant                       57. Comment: Some commenters                       specific to Title VIII subsistence hunting
                                                management decision. The existing                       stated the NPS should retain the                      program recommendations in national
                                                framework is overly rigid and                           provision requiring consultation with                 parks and monuments. This rule does
                                                complicated, and unnecessarily                          the State and with ‘‘representatives of               not restrict Title VIII subsistence and
                                                compromises the NPS’s ability to                        affected user groups’’ prior to adopting              applies only to sport harvest on national
                                                protect resources and provide for public                restrictions on the take of wildlife for              preserves. Therefore 16 U.S.C. 3118(b)
                                                use and enjoyment. The NPS has                          sport purposes, including Subsistence                 does not apply.
                                                determined that the criteria-based                      Resource Commissions, federal                            58. Comment: Some commenters
                                                rulemaking structure that exists in the                 subsistence regional advisory councils,               stated that the factors in the rule that
                                                nationwide NPS regulations (and is                      local fish and game advisory                          must be considered by superintendents
                                                mirrored by Alaska State Parks)                         committees, tribes, and others. Some                  prior to adopting a closure or restriction
                                                provides a better framework. A criteria-                commenters also stated the NPS must                   are ambiguous and give too much
                                                based framework requires notice and                     implement the recommendations of                      discretion to park superintendents.
                                                comment rulemaking based on the                         Subsistence Resources Commissions                     Other commenters suggested adding
                                                impact the closure or restriction will                  unless the criteria of 16 U.S.C. 3118(b)              factors, including ‘‘natural,’’ ‘‘natural
                                                have on the values, resources, and                      apply.                                                and healthy,’’ ‘‘healthy,’’ and ‘‘species
                                                visitors of the park unit. This framework                  NPS Response: 16 U.S.C. 3201                       of concern,’’ to those in the proposed
                                                allows the superintendent to implement                  requires the NPS to consult with the                  rule. Other commenters suggested
                                                closures or restrictions that do not                    State prior to prescribing restrictions               retaining the reference to emergencies.
                                                                                                        relating to hunting, fishing, or trapping                NPS Response: The factors that must
                                                significantly impact values, resources,
                                                                                                        in national preserves. The rule does not              be considered by superintendents place
                                                or visitor use without needing to
                                                                                                        eliminate that statutory requirement; it              appropriate guidelines around their
                                                publish a rule in the Federal Register or
                                                                                                        has moved this requirement into § 13.50               authority to manage NPS units in
                                                propose the same action again every
                                                                                                        because it relates to closures and                    Alaska. The discretionary authority
                                                year. For example, a prohibition on
                                                                                                        restrictions. The rule also requires the              granted to superintendents recognizes
                                                smoking near fuel storage tanks would
                                                                                                        NPS to provide an opportunity for                     that they are subject matter experts
                                                not necessarily require a rulemaking,
                                                                                                        public comment, including one or more                 regarding management of the park unit
                                                but closing an area to all sport harvest
                                                                                                        public meetings near the affected                     and allows them to take action and
                                                on a permanent basis would. The
                                                                                                        national preserve prior to implementing               respond to changing circumstances in
                                                criteria-based framework allows                         a closure or restriction on taking fish or            the unit.
                                                managers to be more flexible and adapt                  wildlife. This will provide                              Under the existing regulations, the
                                                to changing circumstances. The                          representatives of affected user groups               superintendent must consider factors
                                                improved consistency with other NPS                     an opportunity to provide comments to                 including public health and safety,
                                                units and Alaska State Parks will also                  the NPS prior to the action being                     resource protection, protection of
                                                make it easier for the public to be                     implemented. User groups are invited                  cultural or scientific values, subsistence
                                                involved in decision-making regarding                   and encouraged to provide input on all                uses, conservation of endangered or
                                                the use of public lands in Alaska.                      such proposed actions.                                threatened species, and other
                                                   With regard to the duration of                          The NPS agrees that input from                     management considerations in
                                                emergency closures, the NPS rule is                     advisory groups, NPS Subsistence                      determining whether to adopt closures
                                                more consistent with the practice of                    Resource Commissions, and others is                   or restrictions on an emergency basis.
                                                other agencies and NPS regulations that                 important and valuable and the NPS                    These factors appear elsewhere in 36
                                                apply outside of Alaska. The existing                   encourages these groups to engage with                CFR part 13 (e.g., 36 CFR 13.460(b) and
                                                regulations limit emergency closures to                 the park superintendents on topics of                 13.485(c)). The NPS proposed to modify
                                                30 days without extension. Federal                      interest. The NPS, however, does not                  this section by requiring the
                                                subsistence regulations regarding                       agree that the provisions of 16 U.S.C.                superintendent to consider these factors
                                                subsistence harvest of fish and wildlife                3118(b) apply as broadly as suggested.                for all closures and restrictions (not just
                                                provide for emergency closures of up to                 Under 16 U.S.C. 3118, Subsistence                     emergencies), and adding the criteria of
                                                60 days and allow for extensions.                       Resource Commissions are established                  ‘‘naturally functioning ecosystems’’
                                                National Park System-wide regulations                   for areas designated as national parks                based on NPS Management Policies
                                                and Alaska State Parks regulations do                   and monuments (not national preserves)                2006, which implement the NPS
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                                                not provide a time limit on emergency                   to provide subsistence hunting program                Organic Act.
                                                closures. 36 CFR 1.5, 11 AAC 12.355.                    recommendations. ANILCA further                          In the final rule, the NPS has decided
                                                With respect to restrictions on taking                  provides that a subsistence hunting                   that adding a requirement that the
                                                fish and wildlife for sport purposes in                 program recommendation for national                   superintendent consider protecting
                                                national preserves, the NPS adopts the                  parks and monuments must be                           ‘‘naturally functioning ecosystems’’ is
                                                60-day timeframe and allows for                         implemented unless it ‘‘violates                      unnecessary because this consideration
                                                extensions—after consultation with the                  recognized principles of wildlife                     is encompassed by the existing


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                                                                          Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                                                64341

                                                requirement that the superintendent                                         but determined such terms are not                          Changes From the Proposed Rule
                                                consider ‘‘resource protection.’’ The                                       necessary because they are a part of                         After taking the public comments into
                                                NPS considered adding the terms                                             ‘‘resource protection’’ or in some cases                   consideration and after additional
                                                ‘‘natural,’’ ‘‘natural and healthy,’’                                       ‘‘conservation of endangered or                            review, the NPS made the following
                                                ‘‘healthy,’’ and ‘‘species of concern,’’                                    threatened species.’’                                      substantive changes in the final rule:



                                                § 13.1 ........................................................................................   Added an exception to the definition of ‘‘bait’’ for legally taken fish not required to
                                                                                                                                                    be salvaged if not moved from the kill site. This change is consistent with State
                                                                                                                                                    law and would exclude this practice from the prohibition on using bait in the
                                                                                                                                                    rule. The term ‘‘game’’ was changed to ‘‘wildlife’’ for consistency with NPS ter-
                                                                                                                                                    minology.
                                                § 13.42(g) ..................................................................................     Delayed implementation of the prohibited methods of taking wildlife until January
                                                                                                                                                    1, 2016.
                                                § 13.42(g)(8) .............................................................................       Added an allowance for using electronic calls to take all game animals (not lim-
                                                                                                                                                    ited to big game animals) except for moose.
                                                § 13.42(g)(10) ...........................................................................        Removed an exception that would have allowed the taking black bears over bait,
                                                                                                                                                    which is now prohibited.
                                                § 13.42(g)(11) ...........................................................................        Removed an exception that would have allowed the use of dogs to take black
                                                                                                                                                    bears under a State permit.
                                                § 13.42(g)(14) ...........................................................................        Added an exception to the prohibition on taking a fur animal by disturbing or de-
                                                                                                                                                    stroying a den to allow taking muskrats at pushups or feeding houses.
                                                § 13.42(e) ..................................................................................     Modified an existing requirement that individuals transporting wildlife through park
                                                                                                                                                    areas must identify themselves and the location where the wildlife was taken to
                                                                                                                                                    any NPS personnel. This information must now only be given to NPS law en-
                                                                                                                                                    forcement personnel. This type of information is relevant for law enforcement
                                                                                                                                                    purposes and accordingly, the identification requirement should be limited to
                                                                                                                                                    law enforcement officers.
                                                § 13.50(a) ..................................................................................     Modified to reflect the applicability of § 13.50 to all NPS closures and restrictions
                                                                                                                                                    in Alaska unless more specific procedures in part 13 apply.
                                                § 13.50(b) ..................................................................................     Changed the title from ‘‘criteria’’ to ‘‘factors’’ because the regulatory text refers to
                                                                                                                                                    the considerations as ‘‘factors.’’ Removed ‘‘protecting the integrity of naturally
                                                                                                                                                    functioning ecosystems’’ as factor that must be considered by the super-
                                                                                                                                                    intendent in determining whether to close an area or restrict an activity.
                                                § 13.50(c) ..................................................................................     Change the title from ‘‘duration’’ to ‘‘rulemaking requirements’’ to accurately re-
                                                                                                                                                    flect the content of the subsection. Removed the provision limiting all emer-
                                                                                                                                                    gency closures and restrictions to 60 days.
                                                § 13.50(d) ..................................................................................     Added a provision requiring written explanation of the reasons for implementing,
                                                                                                                                                    relaxing, or terminating a closure or restriction, except in emergencies.
                                                § 13.50(e) ..................................................................................     Prior to implementing nonemergency closures or restrictions on taking fish or
                                                                                                                                                    wildlife, added a requirement to hold one or more public meetings near the af-
                                                                                                                                                    fected NPS unit. Added a 60-day time limit for emergency closures or restric-
                                                                                                                                                    tions on taking fish or wildlife with extensions only upon consultation with the
                                                                                                                                                    State and public comment, including a meeting near the affected NPS unit.
                                                § 13.50(f) ...................................................................................    Closures or restrictions will be ‘‘posted on the NPS website’’ rather than ‘‘effec-
                                                                                                                                                    tive upon publication on the NPS website.’’ This change reflects that the NPS
                                                                                                                                                    may post closures or restrictions on the NPS website prior to them taking ef-
                                                                                                                                                    fect. Also added a requirement to compile a written list, updated annually, of
                                                                                                                                                    closures and restrictions which is posted on the NPS website.
                                                § 13.50 ......................................................................................    Removed existing regulations on ‘‘Openings’’ and ‘‘Facility closures and restric-
                                                                                                                                                    tions’’ because they are redundant with the revisions to this section.
                                                § 13.50(g) ..................................................................................     Shortened for clarity and brevity.
                                                § 13.490 ....................................................................................     Added a requirement to consult with the State and the Federal Subsistence
                                                                                                                                                    Board before temporary restrictions on taking fish or wildlife for subsistence
                                                                                                                                                    uses under Title VIII of ANILCA. Updated the language regarding location of
                                                                                                                                                    hearings to near the ‘‘affected NPS unit’’ for consistency with the changes in
                                                                                                                                                    § 13.50.



                                                Compliance With Other Laws,                                                   Executive Order 13563 reaffirms the                      where these approaches are relevant,
                                                Executive Orders, and Department                                            principles of Executive Order 12866                        feasible, and consistent with regulatory
                                                Policy                                                                      while calling for improvements in the                      objectives. Executive Order 13563
                                                                                                                            nation’s regulatory system to promote                      emphasizes further that regulations
                                                Regulatory Planning and Review
                                                                                                                            predictability, to reduce uncertainty,                     must be based on the best available
                                                (Executive Order 12866)
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                                                                                                                            and to use the best, most innovative,                      science and that the rulemaking process
                                                  Executive Order 12866 provides that                                       and least burdensome tools for                             must allow for public participation and
                                                the Office of Information and Regulatory                                    achieving regulatory ends. The                             an open exchange of ideas. We have
                                                Affairs (OIRA) in the Office of                                             executive order directs agencies to                        developed this rule in a manner
                                                Management and Budget will review all                                       consider regulatory approaches that                        consistent with these requirements.
                                                significant rules. OIRA has determined                                      reduce burdens and maintain flexibility
                                                that this rule is not significant.                                          and freedom of choice for the public


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                                                64342             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                Regulatory Flexibility Act                              Civil Justice Reform (Executive Order                 significantly affecting the quality of the
                                                   This rule will not have a significant                12988)                                                human environment, and an
                                                economic effect on a substantial number                    This rule complies with the                        environmental impact statement is not
                                                of small entities under the Regulatory                  requirements of Executive Order 12988.                required, because we reached a Finding
                                                Flexibility Act (5 U.S.C. 601 et seq.).                 Specifically, this rule:                              of No Signficant Impact (FONSI). The
                                                This certification is based on the cost-                   (a) Meets the criteria of section 3(a)             EA and FONSI are available online at
                                                benefit and regulatory flexibility                      requiring that all regulations be                     http://www.parkplanning.nps.gov/akro,
                                                analyses found in the report entitled                   reviewed to eliminate errors and                      by clicking on the link entitled ‘‘Amend
                                                ‘‘Cost-Benefit and Regulatory Flexibility               ambiguity and be written to minimize                  Hunting and Trapping Regulations in
                                                Analyses: Proposed Revisions to                         litigation; and                                       National Preserves In Alaska’’ and then
                                                Wildlife Harvest Regulations in National                   (b) Meets the criteria of section 3(b)(2)          clicking on the link entitled ‘‘Document
                                                Park System Alaska Region’’ which can                   requiring that all regulations be written             List.’’
                                                be viewed online at http://                             in clear language and contain clear legal             Effects on the Energy Supply (Executive
                                                parkplanning.nps.gov/akro, by clicking                  standards.                                            Order 13211)
                                                the link entitled ‘‘Amend Hunting and                   Consultation with Indian Tribes (E.O.
                                                Trapping Regulations in National                                                                                This rule is not a significant energy
                                                                                                        13175 and Department policy) and                      action under the definition in Executive
                                                Preserves In Alaska’’ and then clicking                 ANCSA Native Corporations
                                                the link entitled ‘‘Document List.’’                                                                          Order 13211. A Statement of Energy
                                                                                                          The Department of the Interior strives              Effects is not required.
                                                Small Business Regulatory Enforcement                   to strengthen its government-to-
                                                Fairness Act (SBREFA)                                   government relationship with Indian                   Drafting Information
                                                   This rule is not a major rule under 5                Tribes through a commitment to                          The primary authors of this regulation
                                                U.S.C. 804(2), the SBREFA. This rule:                   consultation with Indian Tribes and                   are Jay Calhoun, Regulations Program
                                                   a. Does not have an annual effect on                 recognition of their right to self-                   Specialist, National Park Service,
                                                the economy of $100 million or more.                    governance and tribal sovereignty. We                 Division of Jurisdiction, Regulations,
                                                   b. Will not cause a major increase in                have evaluated this rule under the                    and Special Park Uses; Philip Hooge,
                                                costs or prices for consumers,                          criteria in Executive Order 13175 and                 Denali National Park and Preserve;
                                                individual industries, federal, state, or               under the Department’s tribal                         Barbara Cellarius, Wrangell-St. Elias
                                                local government agencies, or                           consultation and Alaska Native Claims                 National Park and Preserve; and Guy
                                                geographic regions                                      Settlement Act (ANCSA) Native                         Adema, Debora Cooper, Joel Hard, Grant
                                                   c. Does not have significant adverse                 Corporation policies and have                         Hilderbrand, Brooke Merrell, Bud Rice,
                                                effects on competition, employment,                     determined that tribal consultation is                and Andee Sears of the Alaska Regional
                                                investment, productivity, innovation, or                not required because the rule will have               Office, National Park Service.
                                                the ability of U.S. based enterprises to                no substantial direct effect on federally
                                                compete with foreign-based enterprises.                 recognized Indian tribes. While the NPS               List of Subjects in 36 CFR Part 13
                                                                                                        has determined the rule will have no                    Alaska, National Parks, Reporting and
                                                Unfunded Mandates Reform Act                            substantial direct effect on federally                recordkeeping requirements.
                                                   This rule does not impose an                         recognized Indian tribes or ANCSA
                                                unfunded mandate on state, local, or                    Native Corporation lands, water areas,                  In consideration of the foregoing, the
                                                tribal governments or the private sector                or resources, the NPS consulted with                  National Park Service amends 36 CFR
                                                of more than $100 million per year. The                 Alaska Native tribes and Alaska Native                part 13 as set forth below:
                                                rule does not have a significant or                     Corporations on the proposed rule, as                 PART 13—NATIONAL PARK SYSTEM
                                                unique effect on state, local or tribal                 discussed above.                                      UNITS IN ALASKA
                                                governments or the private sector. A
                                                                                                        Paperwork Reduction Act (44 U.S.C.
                                                statement containing the information                                                                          ■ 1. The authority citation for part 13
                                                                                                        3501 et seq.)
                                                required by the Unfunded Mandates                                                                             continues to read as follows:
                                                Reform Act (2 U.S.C. 1531 et seq.) is not                 This rule does not contain
                                                                                                        information collection requirements,                     Authority: 16 U.S.C. 3124; 54 U.S.C.
                                                required.                                                                                                     100101, 100751, 320102; Sec. 13.1204 also
                                                                                                        and a submission to the Office of
                                                Takings (Executive Order 12630)                                                                               issued under Sec. 1035, Pub. L. 104–333, 110
                                                                                                        Management and Budget under the                       Stat. 4240.
                                                  This rule does not effect a taking of                 Paperwork Reduction Act is not
                                                private property or otherwise have                      required. We may not conduct or                       ■  2. In § 13.1, add in alphabetical order
                                                taking implications under Executive                     sponsor and you are not required to                   the terms ‘‘Bait’’, ‘‘Big game’’, ‘‘Cub
                                                Order 12630. A takings implication                      respond to a collection of information                bear’’, ‘‘Fur animal’’, ‘‘Furbearer’’, and
                                                assessment is not required.                             unless it displays a currently valid OMB              ‘‘Trapping’’ to read as follows:
                                                                                                        control number.
                                                Federalism (Executive Order 13132)                                                                            § 13.1   Definitions.
                                                  Under the criteria in section 1 of                    National Environmental Policy Act                     *      *     *     *      *
                                                Executive Order 13132, this rule does                     The NPS has analyzed this rule in                      Bait means, for purposes of taking
                                                not have sufficient federalism                          accordance with the criteria of the                   wildlife other than fish, any material
                                                implications to warrant the preparation                 National Environmental Policy Act                     used to attract wildlife by sense of smell
                                                of a Federalism summary impact                          (NEPA) and 516 DM. We prepared an                     or taste except:
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                                                statement. The rule’s effect is limited to              environmental assessment entitled                        (1) Parts of legally taken wildlife or
                                                federal lands managed by the NPS in                     ‘‘Wildlife Harvest On National Park                   fish that are not required to be salvaged
                                                Alaska and it will not have a substantial               System Preserves In Alaska’’ (EA) to                  if the parts are not moved from the kill
                                                direct effect on state and local                        determine whether this rule will have a               site; or
                                                government in Alaska. A Federalism                      significant impact on the quality of the                 (2) Wildlife or fish that died of natural
                                                summary impact statement is not                         human environment. This rule does not                 causes, if not moved from the location
                                                required.                                               constitute a major Federal action                     where it was found.


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                                                                         Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations                                                            64343

                                                   Big game means black bear, brown                                     fishing is allowed in accordance with                            (e) Persons transporting wildlife
                                                bear, bison, caribou, Sitka black-tailed                                non-conflicting State law and                                 through park areas must identify
                                                deer, elk, mountain goat, moose,                                        regulations.                                                  themselves and the location where the
                                                muskox, Dall’s sheep, wolf, and                                            (e) Closures and restrictions. The                         wildlife was taken when requested by
                                                wolverine.                                                              Superintendent may prohibit or restrict                       NPS law enforcement personnel.
                                                *      *      *    *     *                                              the non-subsistence taking of fish in                            (f) State of Alaska management
                                                   Cub bear means a brown (grizzly) bear                                accordance with the provisions of                             actions or laws or regulations that
                                                in its first or second year of life, or a                               § 13.50.                                                      authorize taking of wildlife are not
                                                black bear (including the cinnamon and                                                                                                adopted in park areas if they are related
                                                blue phases) in its first year of life.                                 ■   4. Add § 13.42 to read as follows:
                                                                                                                                                                                      to predator reduction efforts. Predator
                                                *      *      *    *     *                                              § 13.42 Taking of wildlife in national                        reduction efforts are those with the
                                                   Fur animal means a classification of                                 preserves.                                                    intent or potential to alter or manipulate
                                                animals subject to taking with a hunting                                  (a) Hunting and trapping are allowed                        natural predator-prey dynamics and
                                                license, consisting of beaver, coyote,                                  in national preserves in accordance with                      associated natural ecological processes,
                                                arctic fox, red fox, lynx, flying squirrel,                             applicable Federal and non-conflicting                        in order to increase harvest of ungulates
                                                ground squirrel, or red squirrel that                                   State law and regulation.                                     by humans.
                                                have not been domestically raised.                                                                                                       (1) The Regional Director will compile
                                                   Furbearer means a beaver, coyote,                                      (b) Violating a provision of either
                                                                                                                        Federal or non-conflicting State law or                       a list updated at least annually of State
                                                arctic fox, red fox, lynx, marten, mink,
                                                                                                                        regulation is prohibited.                                     laws and regulations not adopted under
                                                least weasel, short-tailed weasel,
                                                                                                                          (c) Engaging in trapping activities as                      this paragraph (f).
                                                muskrat, land otter, red squirrel, flying
                                                squirrel, ground squirrel, Alaskan                                      the employee of another person is                                (2) Taking of wildlife, hunting or
                                                marmot, hoary marmot, woodchuck,                                        prohibited.                                                   trapping activities, or management
                                                wolf and wolverine.                                                       (d) It shall be unlawful for a person                       actions identified in this paragraph (f)
                                                *      *      *    *     *                                              having been airborne to use a firearm or                      are prohibited. Notice of activities
                                                   Trapping means taking furbearers                                     any other weapon to take or assist in                         prohibited under this paragraph (f)(2)
                                                under a trapping license.                                               taking any species of bear, caribou, Sitka                    will be provided in accordance with
                                                                                                                        black-tailed deer, elk, coyote, arctic and                    § 13.50(f).
                                                *      *      *    *     *
                                                ■ 3. In § 13.40, revise the section                                     red fox, mountain goat, moose, Dall                              (g) This paragraph applies to the
                                                heading and paragraphs (d) and (e) to                                   sheep, lynx, bison, musk ox, wolf and                         taking of wildlife in park areas
                                                read as follows:                                                        wolverine until after 3 a.m. on the day                       administered as national preserves
                                                                                                                        following the day in which the flying                         except for subsistence uses by local
                                                § 13.40      Taking of fish.                                            occurred. This prohibition does not                           rural residents pursuant to applicable
                                                *     *    *     *     *                                                apply to flights on regularly scheduled                       Federal law and regulation. As of
                                                  (d) Use of native species as bait. Use                                commercial airlines between regularly                         January 1, 2016, the following are
                                                of species native to Alaska as bait for                                 maintained public airports.                                   prohibited:

                                                                                         Prohibited acts                                                                                 Any exceptions?

                                                (1) Shooting from, on, or across a park road or highway ........................                             None.
                                                (2) Using any poison or other substance that kills or temporarily inca-                                      None.
                                                  pacitates wildlife.
                                                (3) Taking wildlife from an aircraft, off-road vehicle, motorboat, motor                                     If the motor has been completely shut off and progress from the mo-
                                                  vehicle, or snowmachine.                                                                                      tor’s power has ceased.
                                                (4) Using an aircraft, snowmachine, off-road vehicle, motorboat, or                                          None.
                                                  other motor vehicle to harass wildlife, including chasing, driving,
                                                  herding, molesting, or otherwise disturbing wildlife.
                                                (5) Taking big game while the animal is swimming .................................                           None.
                                                (6) Using a machine gun, a set gun, or a shotgun larger than 10 gauge                                        None.
                                                (7) Using the aid of a pit, fire, artificial salt lick, explosive, expanding                                 Killer style traps with an inside jaw spread less than 13 inches may be
                                                  gas arrow, bomb, smoke, chemical, or a conventional steel trap with                                           used for trapping, except to take any species of bear or ungulate.
                                                  an inside jaw spread over nine inches.
                                                (8) Using any electronic device to take, harass, chase, drive, herd, or                                      (i) Rangefinders may be used.
                                                  molest wildlife, including but not limited to: artificial light; laser sights;                             (ii) Electronic calls may be used for game animals except moose.
                                                  electronically enhanced night vision scope; any device that has been                                       (iii) Artificial light may be used for the purpose of taking furbearers
                                                  airborne, controlled remotely, and used to spot or locate game with                                            under a trapping license during an open season from Nov. 1 through
                                                  the use of a camera, video, or other sensing device; radio or satellite                                        March 31 where authorized by the State.
                                                  communication; cellular or satellite telephone; or motion detector.                                        (iv) Artificial light may be used by a tracking dog handler with one
                                                                                                                                                                 leashed dog to aid in tracking and dispatching a wounded big game
                                                                                                                                                                 animal.
                                                                                                                                                             (v) Electronic devices approved in writing by the Regional Director.
                                                (9) Using snares, nets, or traps to take any species of bear or ungulate                                     None.
                                                (10) Using bait ..........................................................................................   Using bait to trap furbearers.
                                                (11) Taking big game with the aid or use of a dog .................................                          Leashed dog for tracking wounded big game.
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                                                (12) Taking wolves and coyotes from May 1 through August 9 ..............                                    None.
                                                (13) Taking cub bears or female bears with cubs ...................................                          None.
                                                (14) Taking a fur animal or furbearer by disturbing or destroying a den                                      Muskrat pushups or feeding houses.




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                                                64344             Federal Register / Vol. 80, No. 205 / Friday, October 23, 2015 / Rules and Regulations

                                                  (h) The Superintendent may prohibit                     (e) Restrictions on taking fish or                  § 13.490 Closures and restrictions to
                                                or restrict the non-subsistence taking of               wildlife. (1) Except in emergencies, the              subsistence uses of fish and wildlife.
                                                wildlife in accordance with the                         NPS will consult with the State agency                  (a) The Superintendent may
                                                provisions of § 13.50.                                  having responsibility over fishing,                   temporarily restrict a subsistence
                                                  (i) A person may not intentionally                    hunting, or trapping and provide an                   activity or close all or part of a park area
                                                obstruct or hinder another person’s                     opportunity for public comment,                       to subsistence uses of a fish or wildlife
                                                lawful hunting or trapping by:                          including one or more public meetings                 population after consultation with the
                                                  (1) Placing oneself in a location in                  near the affected NPS unit, prior to                  State and the Federal Subsistence Board
                                                which human presence may alter the                      implementing a closure or restriction on              in accordance with the provisions of
                                                behavior of the game that another                       taking fish or wildlife.                              this section. The Superintendent may
                                                person is attempting to take or the                       (2) Emergency closures or restrictions              make a temporary closure or restriction
                                                imminent feasibility of taking game by                  may not exceed a period of 60 days and                notwithstanding any other provision of
                                                another person; or                                      may not be extended without following                 this part, and only if the following
                                                  (2) Creating a visual, aural, olfactory,              the nonemergency procedures of this                   conditions are met:
                                                or physical stimulus in order to alter the              section.                                                (1) The restriction or closure must be
                                                behavior of the game that another                                                                             necessary for reasons of public safety,
                                                person is attempting to take.                             (f) Notice. A list of closures and
                                                                                                        restrictions will be compiled in writing              administration, or to ensure the
                                                ■ 5. Revise § 13.50 to read as follows:                                                                       continued viability of the fish or
                                                                                                        and updated annually. The list will be
                                                                                                        posted on the NPS Web site at                         wildlife population;
                                                § 13.50 Closure and restriction
                                                procedures.                                             www.nps.gov and made available at park                  (2) Except in emergencies, the
                                                                                                        headquarters. Additional means of                     Superintendent must provide public
                                                  (a) Applicability and authority. The
                                                                                                        notice reasonably likely to inform                    notice and hold a public hearing near
                                                Superintendent will follow the
                                                                                                        residents in the affected vicinity will               the affected NPS unit;
                                                provisions of this section to close an
                                                                                                        also be provided where available, such                  (3) The restriction or closure may last
                                                area or restrict an activity, or terminate
                                                                                                        as:                                                   only so long as reasonably necessary to
                                                or relax a closure or restriction, in NPS
                                                                                                                                                              achieve the purposes of the closure.
                                                areas in Alaska.                                          (1) Publication in a newspaper of
                                                  (b) Factors. In determining whether to                general circulation in the State or in                *     *     *     *      *
                                                close an area or restrict an activity, or               local newspapers;                                       Dated: September 9, 2015.
                                                whether to terminate or relax a closure                   (2) Use of electronic media, such as                Michael Bean,
                                                or restriction, the Superintendent must                 the internet and email lists;                         Principal Deputy Assistant Secretary for Fish
                                                ensure that the activity or area is                                                                           and Wildlife and Parks.
                                                                                                          (3) Radio broadcast; or
                                                managed in a manner compatible with                                                                           [FR Doc. 2015–26813 Filed 10–22–15; 8:45 am]
                                                the purposes for which the park area                      (4) Posting of signs in the local
                                                                                                        vicinity.                                             BILLING CODE 4310–EJ–P
                                                was established. The Superintendent’s
                                                decision under this paragraph must                        (g) Violating a closure or restriction is
                                                therefore be guided by factors such as                  prohibited.
                                                                                                                                                              ENVIRONMENTAL PROTECTION
                                                public health and safety, resource                      § 13.400    [Amended]                                 AGENCY
                                                protection, protection of cultural or
                                                scientific values, subsistence uses,                    ■ 6. In § 13.400, remove paragraph (e)                40 CFR Part 52
                                                conservation of endangered or                           and redesignate paragraph (f) as new
                                                threatened species, and other                           paragraph (e).                                        [EPA–R04–OAR–2015–0337; FRL–9936–05–
                                                                                                                                                              Region 4]
                                                management considerations.                              ■   7. Revise § 13.470 to read as follows:
                                                  (c) Rulemaking requirements. This
                                                                                                                                                              Approval and Promulgation of
                                                paragraph applies only to a closure or                  § 13.470    Subsistence fishing.
                                                                                                                                                              Implementation Plans; Florida;
                                                restriction, or the termination or                         Fish may be taken by local rural                   Regional Haze Plan Amendment—
                                                relaxation of such, which is of a nature,               residents for subsistence uses in park                Lakeland Electric C.D. McIntosh
                                                magnitude and duration that will result                 areas where subsistence uses are
                                                in a significant alteration in the public               allowed in compliance with applicable                 AGENCY:  Environmental Protection
                                                use pattern of the area; adversely affect               Federal law and regulation, including                 Agency (EPA).
                                                the area’s natural, aesthetic, scenic, or               the provisions of §§ 2.3 and 13.40 of this            ACTION: Final rule.
                                                cultural values; or require a long-term                 chapter. Local rural residents in park
                                                modification in the resource                            areas where subsistence uses are                      SUMMARY:   The Environmental Protection
                                                management objectives of the area.                      allowed may fish with a net, seine, trap,             Agency (EPA) is finalizing approval of
                                                Except in emergency situations, the                     or spear; or use native species as bait,              the State of Florida’s March 10, 2015,
                                                closure or restriction, or the termination              where permitted by applicable Federal                 State Implementation Plan (SIP)
                                                or relaxation of such, must be published                law and regulation.                                   revision, submitted by the Florida
                                                as a rulemaking in the Federal Register.                                                                      Department of Environmental Protection
                                                  (d) Written determination. Except in                  ■   8. Revise § 13.480 to read as follows:            (FDEP). This submittal fulfills Florida’s
                                                emergency situations, prior to                          § 13.480 Subsistence hunting and                      commitment to EPA to provide a
                                                implementing or terminating a closure                   trapping.                                             regional haze SIP revision with a Best
                                                or restriction, the superintendent shall                                                                      Available Retrofit Technology (BART)
mstockstill on DSK4VPTVN1PROD with RULES




                                                prepare a written determination                            Local rural residents may hunt and                 nitrogen oxides (NOx) emissions limit
                                                justifying the action. That determination               trap wildlife for subsistence uses in park            for Unit 1 at the Lakeland Electric—C.D.
                                                shall set forth the reasons the closure or              areas where subsistence uses are                      McIntosh Power Plant (McIntosh)
                                                restriction authorized by paragraph (a)                 allowed in compliance with this chapter               reflecting best operating practices for
                                                of this section has been established.                   and 50 CFR part 100.                                  good combustion. States are required to
                                                This determination will be posted on                    ■ 9. In § 13.490, revise paragraph (a) to             address the BART provisions of the
                                                the NPS Web site at www.nps.gov.                        read as follows:                                      Clean Air Act (CAA or Act) and EPA’s


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Document Created: 2015-12-14 15:32:18
Document Modified: 2015-12-14 15:32:18
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 rule.
DatesThis rule is effective November 23, 2015.
ContactAndee Sears, Regional Law Enforcement Specialist, Alaska Regional Office, 240 West 5th Ave., Anchorage, AK 99501. Phone (907) 644-3417. Email: [email protected]
FR Citation80 FR 64325 
RIN Number1024-AE21
CFR AssociatedAlaska; National Parks and Reporting and Recordkeeping Requirements

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