80_FR_66956 80 FR 66747 - User Fees for Agricultural Quarantine and Inspection Services

80 FR 66747 - User Fees for Agricultural Quarantine and Inspection Services

DEPARTMENT OF AGRICULTURE
Animal and Plant Health Inspection Service

Federal Register Volume 80, Issue 209 (October 29, 2015)

Page Range66747-66779
FR Document2015-27363

We are amending the user fee regulations by adding new fee categories and adjusting current fees charged for certain agricultural quarantine and inspection services that are provided in connection with certain commercial vessels, commercial trucks, commercial railroad cars, commercial aircraft, and international passengers arriving at ports in the customs territory of the United States. We are also adjusting or removing the fee caps associated with commercial trucks, commercial vessels, and commercial railcars. We have determined that revised user fee categories and revised user fees are necessary to recover the costs of the current level of activity, to account for actual increases in the cost of doing business, and to more accurately align fees with the costs associated with each fee service.

Federal Register, Volume 80 Issue 209 (Thursday, October 29, 2015)
[Federal Register Volume 80, Number 209 (Thursday, October 29, 2015)]
[Rules and Regulations]
[Pages 66747-66779]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-27363]



[[Page 66747]]

Vol. 80

Thursday,

No. 209

October 29, 2015

Part IV





Department of Agriculture





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Animal and Plant Health Inspection Service





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7 CFR Part 354





 User Fees for Agricultural Quarantine and Inspection Services; Final 
Rule

Federal Register / Vol. 80 , No. 209 / Thursday, October 29, 2015 / 
Rules and Regulations

[[Page 66748]]


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DEPARTMENT OF AGRICULTURE

Animal and Plant Health Inspection Service

7 CFR Part 354

[Docket No. APHIS-2013-0021]
RIN 0579-AD77


User Fees for Agricultural Quarantine and Inspection Services

AGENCY: Animal and Plant Health Inspection Service, USDA.

ACTION: Final rule.

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SUMMARY: We are amending the user fee regulations by adding new fee 
categories and adjusting current fees charged for certain agricultural 
quarantine and inspection services that are provided in connection with 
certain commercial vessels, commercial trucks, commercial railroad 
cars, commercial aircraft, and international passengers arriving at 
ports in the customs territory of the United States. We are also 
adjusting or removing the fee caps associated with commercial trucks, 
commercial vessels, and commercial railcars. We have determined that 
revised user fee categories and revised user fees are necessary to 
recover the costs of the current level of activity, to account for 
actual increases in the cost of doing business, and to more accurately 
align fees with the costs associated with each fee service.

DATES: Effective December 28, 2015.

FOR FURTHER INFORMATION CONTACT: Ms. Diane L. Schuble, AQI User Fee 
Coordinator, Office of the Executive Director-Policy Management, PPQ, 
APHIS, 4700 River Road, Unit 131, Riverdale, MD 20737 1231; (301) 851-
2338; Email: AQI.User.Fees@aphis.usda.gov.

SUPPLEMENTARY INFORMATION:

Background

    Section 2509(a) of the Food, Agriculture, Conservation, and Trade 
(FACT) Act of 1990 (21 U.S.C. 136a) authorizes the Animal and Plant 
Health Inspection Service (APHIS) to collect user fees for certain 
agricultural quarantine and inspection (AQI) services. The FACT Act was 
amended on April 4, 1996, and May 13, 2002.
    The FACT Act, as amended, authorizes APHIS to collect user fees for 
AQI services provided in connection with the arrival, at a port in the 
customs territory of the United States, of commercial vessels, 
commercial trucks, commercial railroad cars, commercial aircraft, and 
international passengers. According to the FACT Act, these user fees 
should recover the costs of:
     Providing the AQI services for the conveyances and the 
passengers listed above;
     Providing preclearance or preinspection at a site outside 
the customs territory of the United States to international passengers, 
commercial vessels, commercial trucks, commercial railroad cars, and 
commercial aircraft;
     Administering the user fee program; and
     Maintaining a reasonable balance, also referred to by 
APHIS as a ``reserve,'' to ensure that funding is available in the 
event that there are temporary reductions in the demand for AQI 
services leading to reduced fee collections, as was experienced in 2008 
(Pub. L. 101-624, Section 2509). As there are fixed costs related to 
providing AQI services (i.e., costs that do not fluctuate with demand 
for AQI services) that the program incurs, a reasonable balance/reserve 
is needed to ensure continuity of service in times of reduced fee 
collection. This provides certainty to importers regarding the 
availability of inspection services. Specifically, the Act states, 
``The Secretary shall adjust the amount of the fees to be assessed 
under this subsection to reflect the cost to the Secretary in 
administering such subsection, in carrying out the activities at ports 
in customs territory of the United States and preclearance and 
preinspection sites outside the customs territory of the United States 
in connection with the provision of agricultural quarantine inspection 
services, and in maintaining a reasonable balance in the Account.'' The 
level of the reserve is determined by the Secretary.
    In addition, the FACT Act, as amended contains the following 
requirements:
     The fees should be commensurate with the costs with 
respect to the class of persons or entities paying the fees. This is 
intended to avoid cross-subsidization of AQI services.
     The cost of AQI services with respect to passengers as a 
class should include the cost of related inspections of the aircraft or 
other conveyance.
    APHIS' regulations regarding overtime services and user fees 
relating to imports and exports are found in 7 CFR part 354. The user 
fees for the AQI activities described above are contained in Sec.  
354.3, ``User fees for certain international services.''
    The AQI program is a Federal program that is designed to identify 
and address threats to U.S. agriculture and to facilitate safe 
agricultural trade, such as the accidental or intentional introduction 
of animal diseases and plant pests. Direct animal agriculture hazards 
include, but are not limited to, foot and mouth disease, avian 
influenza, and classical swine fever. Plant pests include foreign 
noxious weeds such as hogweed and insects such as long-horned beetles 
related to the Asian long-horned beetle that has caused millions of 
dollars in losses in numerous communities in the United States. Fruit 
flies, such as the Mediterranean fruit fly, if introduced, would cause 
significant direct damage to U.S. fruit crops and have major impacts on 
export markets. Diseases such as powdery mildews on corn and its 
relatives, wheat blast on wheat and its related grains, and exotic rice 
diseases could cause major impacts on staple food supplies and create 
trade barriers. The fees that pay for the AQI program help protect our 
country from these threats at a very small cost in relation to the 
economic harm that would be caused by any new introduction of pests and 
diseases.
    Under the FACT Act, the Secretary of Agriculture has the authority 
to prescribe and collect user fees sufficient to cover the cost of 
providing AQI services. By U.S. law, APHIS is designated as the Agency 
with the authority to establish and collect fees related to work 
undertaken in the AQI program. Other Federal agencies undertake 
activities that support the AQI program mission. APHIS followed Federal 
guidance, including the Office of Management and Budget (OMB) Circular 
A-25 and Federal Accounting Standards Advisory Board Statement of 
Accounting Standards Number 4, to appropriately account for these costs 
in order to determine the appropriate fees. Those costs not recovered 
through the AQI fees are paid for through appropriated funding. The use 
of activity based costing (ABC) methodology in establishing fees 
ensures that no cost is double counted. AQI program costs incurred by 
APHIS include:
     Program costs directly attributable to the delivery of AQI 
services;
     Program delivery-related costs (known as distributable 
costs) at the State level and below, at the regional and headquarters 
levels, the APHIS Agency level, and the U.S. Department of Agriculture 
(USDA) Departmental level. These costs are necessary to support the 
direct delivery of AQI services; and
     Depreciation of various equipment and facilities that 
directly support, in whole or in part, APHIS' delivery of AQI services 
and other imputed costs that other Federal agencies incur in providing 
services to APHIS and the

[[Page 66749]]

AQI program. Imputed costs are the costs of goods or services incurred 
on behalf of an agency that are paid by another Federal entity, such as 
certain retirement benefits paid to retirees by the Office of Personnel 
Management.
    The AQI fees have not been adjusted since FY 2010 and do not 
reflect the current cost of providing AQI services. As a result, U.S. 
Customs and Border Protection (CBP) of the Department of Homeland 
Security, which collaborates with APHIS in providing the AQI services 
referred to above, has relied more heavily on its appropriated funds to 
provide AQI services that are not paid for by AQI revenue or to cover 
the cost of services for which the current fee revenue is insufficient. 
The FACT Act provides that USDA may prescribe and collect fees that are 
sufficient to cover the cost of providing AQI services, and Federal 
guidance for fee setting states that, where possible, a user fee should 
recover the full cost to the government.
    On April 25, 2014, we published in the Federal Register (79 FR 
22895-22908, Docket No. APHIS-2013-0021) a proposal \1\ to amend the 
regulations by adjusting existing fees and adding some new ones in 
order to enable us to recover the costs of providing AQI services and 
to allow us to maintain the AQI reserve account. Specifically, we 
proposed to:
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    \1\ To view the proposed rule, supporting documents, and the 
comments we received, go to http://www.regulations.gov/#!docketDetail;D=APHIS-2013-0021.
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     Adjust the fees charged for the following conveyances or 
persons to whom AQI services are provided: Commercial vessels, 
commercial trucks, commercial railroad cars, commercial aircraft, and 
international air passengers. (Because commercial truck inspections 
have separate fees for trucks with and without decals (transponders), 
we actually proposed to adjust a total of six current fees.)
     Add a new fee to be charged for international commercial 
vessel (cruise) passengers.
     Add a new fee for conducting and monitoring treatments.
     Remove the caps (limits on the number of times a specific 
conveyance must pay the AQI fee in a given year) for vessels and 
railcars.
     Adjust the caps on fees for trucks with transponders. 
APHIS and CBP determined that there was a benefit to the use of 
transponders in speeding truck traffic through inspection at the border 
and thereby reducing the cost to the Federal Government for providing 
AQI services. The intent of a cap for truck transponders is to create 
an incentive for trucking firms to use a transponder. The difference 
between the cost of providing inspections for trucks with transponders 
and the revenue collected from trucks with transponders will be covered 
by appropriations. This ensures that there will be no cross-
subsidization of AQI services.
    There are other AQI program costs for which APHIS did not propose 
to establish user fees in the April 2014 document and never has done 
so. The costs of providing these AQI services are paid for through the 
CBP appropriation. These AQI services are:

 Private vehicle inspections at border crossings,
 Pedestrian inspections at border crossings,
 Bus inspections,
 Private vessel inspections,
 Private aircraft inspections,
 Military inspections, and
 Rail passenger inspections.

    APHIS follows Federal guidance in determining the appropriateness 
of charging AQI user fees, specifically the guidance from OMB's 
Circular A-25. Factors influencing our decisions not to charge user 
fees for the above-listed services include lack of authority (e.g. to 
collect fees for bus-passenger inspections); conflict with other 
Federal regulations (e.g. such as those that affect private aircraft); 
and the potential for the costs of collecting fees for services to 
exceed the revenues generated by the fees (e.g. such as inspecting 
private vessels and pedestrians); and the costs of putting in place the 
infrastructure required to collect fees.
    We base the fees on cost data from FYs 2010, 2011, and 2012, and 
use inflationary factors to project our costs through FY 2017.
    We solicited comments concerning our proposal for 60 days ending 
June 24, 2014. We reopened and extended the deadline for comments until 
July 24, 2014, in a document published in the Federal Register on July 
1, 2014 (79 FR 37231, Docket No. APHIS-2013-0021). We received 234 
comments by that date. They were from trucking companies, maritime 
shipping companies, commercial cruise lines, airlines, and associations 
representing all of those industries; producers of flowers, fruits, and 
vegetables and importers and shippers of those commodities; companies 
providing fumigation treatments; port officials; Federal, State, and 
foreign government representatives; and individuals. They are discussed 
below by topic.

Calculation of Fees

    Many commenters requested greater transparency regarding our 
calculation and/or allocation of the proposed user fee adjustments and 
new user fees. Commenters sought more documentation and detailed 
information on how we calculated AQI costs and fees. A more detailed 
explanation of our ABC methodology was requested by some commenters. 
Commenters also requested more specific information on, among other 
topics, how our costs correlated with the AQI services performed, how 
we determined our support costs, and our justification for including 
those costs in our calculation of our fees. These issues are discussed 
individually in the paragraphs that follow.
    One commenter asked that we provide all final reports, 
presentations, or other decisional material from each of the fiscal 
years (FY) 2010 to the present regarding AQI inspection costs and 
revenue prepared by APHIS, by contractor Grant Thornton, or by any 
other contractor or other internal or external party.
    AQI User Fee analysis reports used to calculate the new user fees, 
stakeholder outreach documents, and the proposed rule are available for 
public review on the APHIS Web site at: http://www.aphis.usda.gov/plant-health/aqi-userfee-review. The fee analysis reports were also 
made available on Regulations.gov along with the proposed rule as part 
of the rule's supporting documents and will remain posted there when 
this final rule is published.
    Commenters stated that, because the cost data provided by APHIS did 
not provide specifics regarding the calculation of the individual user 
class fees, the validity of the cost calculations overall is 
questionable. The commenter stated further that the lack of 
transparency unfairly inhibits industry's ability to respond 
knowledgeably to the proposal.
    APHIS provided the rationale, data, and calculations for the 
preferred alternative fee schedule in the proposed rule. However, to 
provide additional clarification on how the individual user fees were 
determined, we are providing a breakdown of the costs that went into 
calculating each new user fee in Tables 2, 5, 7, 8, 9, 10, and 11 
below.
    One commenter expressed concern that the proposed rule does not 
provide sufficient background information on how the burden of the new 
AQI user fee costs should be shared by all parties concerned or how the 
new fees will be applied and/or charged to shipments, or batches of 
agricultural products of different sizes.
    As stated in the proposed rule, we used the ABC methodology to 
determine

[[Page 66750]]

the cost of AQI activities and their associated outputs and services. 
APHIS incorporated ABC methodologies to ensure that the full cost of 
providing AQI services can be appropriately assigned to AQI user fees. 
The AQI expenses are captured in the USDA and CBP financial accounting 
systems. These systems conform to generally accepted accounting 
principles, and each system is subject to accounting audits to ensure 
its correctness in support of statements of financial positions. The 
ABC methodology incorporates industry standards to ensure correctness, 
transparency, and repeatability in the assignment of costs from the 
APHIS and CBP financial systems to activities directly related to the 
delivery of AQI services. The costs of our AQI activities are 
contingent upon the time and effort required of APHIS and CBP staff to 
perform those activities. Those activities must be performed regardless 
of the size or volume of the shipment.
    CBP's agricultural inspection and safeguarding activities generate 
the majority of AQI costs. We used information from the CBP ABC model, 
which has been in existence for more than 10 years, to determine the 
safeguarding activities' costs. The CBP activity set includes 
inspection of shipments, monitoring compliance, and performing many 
other related activities. The costs ascribed to these activities 
contain the personnel and related non-personnel costs associated with 
the performance of them. The CBP model identifies activities by certain 
programs or operational areas, and we used AQI-related activities from 
the CBP model and certain activities that support the direct delivery 
of AQI services to the fee payer. The CBP model also provides some 
activity cost information by mode, so we were able to associate some 
costs with specific fee schedule services. For example, the CBP model 
has separate activities for air passenger inspection, air cargo 
inspection, truck inspection, etc., so we assigned those activity costs 
directly to the appropriate fee schedule items. However, some CBP and 
APHIS activities are performed across multiple modes and fee services. 
Those activity costs were assigned to the appropriate fee services 
based on AQI workload data. For example, APHIS performs pest 
identification for shipments across all modes (air cargo, maritime 
cargo, truck cargo, etc.), and the pest identification costs were 
assigned to each mode based on the number of pest identifications 
performed for each mode.
    Once all costs, including support costs that are necessary to 
support the operation of the centralized AQI system as a whole, were 
assigned to the appropriate fee services and modes, the fees were 
calculated based on the projected number of conveyances subject to 
inspection within each mode, using standard units such as a truck or 
airplane, as has been done in the past. The analysis did not further 
break down the conveyance classes into large and small shipments. 
Because of the volume of conveyances and people crossing the U.S. 
borders, the Government cannot inspect each piece of baggage, package, 
or conveyance. To deploy its limited resources most effectively, APHIS 
uses scientific data to target shipments associated with the highest 
risks of introducing pests or diseases into the United States. 
Importers and other parties pay the fees for all conveyances subject to 
inspection under the AQI program, whether or not we inspect the 
shipment or vessel. Several factors, including number of conveyances, 
risk targeting, and other criteria, drive inspection costs, but all 
conveyances subject to inspection contribute to the cost of, and 
benefit from, the AQI program.
    Whether a fee should be set based on the marginal cost or average 
cost of the service provided is also a consideration. A fee equal to 
the marginal cost of providing the service would maximize efficiency. 
Marginal cost is equal to the cost of providing an additional unit of 
the good or service. Under perfect competition, the marginal cost and 
average cost of a product are equal to each other and to its price. 
Given that AQI services are not provided in a perfectly competitive 
environment, the fee assessed on each class is based on the average 
cost of the AQI services for that class. Based on historical data, we 
projected AQI program costs for the various fee classes (e.g., air 
passenger, commercial aircraft, commercial cargo vessel, treatment, 
etc.). We then divided each class' total cost by the projected number 
of times that are expected to be provided to that class based on 
historical data.
    One commenter stated that ABC is not required by Federal accounting 
guidance. The commenter stated further that there is no evidence that 
APHIS considered other methods of cost accounting. One commenter 
expressed concern that the economic model used to determine the new 
user fees was based on the findings of a single consultant and 
expressed doubt regarding the level of scrutiny the model received. The 
commenter also stated that a review of the AQI program should consider 
whether the ABC methodology is the most appropriate model for this type 
of operation as well as whether the data entered into the ABC model is 
consistent not only with current operations but also with international 
trade agreements.
    While the ABC methodology is not required by Federal accounting 
guidance, it is a preferred cost accounting methodology within the 
manufacturing and service sectors, as noted by the Federal Accounting 
Standards Advisory Board in its Statement of Financial Accounting 
Standards (SFAS) No. 4: Managerial Cost Accounting Concepts and 
Standards for the Federal Government. SFAS No. 4 specifically directs 
the Federal Government to use managerial cost accounting identification 
methods to identify costs. The ABC methodology incorporates industry 
standards to ensure correctness, transparency, and repeatability in the 
assignment of costs from the APHIS and CBP financial systems to 
activities directly related to the delivery of AQI services. Due to the 
usefulness of ABC analysis in tracing costs through activities, it 
provides accurate product and service costs, which allows managers to 
evaluate the efficiency and cost-effectiveness of activities.
    In 2009, APHIS set out to determine best practices in the Federal 
Government for fee setting. We published a statement of work seeking a 
competitive bid to provide assistance in AQI fee setting. Three major 
accounting firms proposed approaches to the work. Each firm included 
ABC as a best practice. The contract allowed a third party to analyze 
and make recommendations to APHIS and CBP on fee setting using 
applicable Federal guidance on fee setting. It was determined that 
managerial accounting was the appropriate approach based on Federal 
guidance and the use of ABC methods was the best approach to achieve a 
reasonable, reproducible, and transparent rule for fee setting. One 
commenter stated that APHIS should provide additional information about 
the methodology used to calculate the fees because there is reason to 
question whether costs have been properly calculated or appropriately 
allocated to specific activities for which user fees are paid. The 
commenter cited as an example the FY 2011 cost figures cited in the 
March 2013 Government Accountability Office (GAO) report (GAO-13-268 
March 2013), which differs from the FY 2011 costs outlined in the 
proposed rule.
    The commenter also stated that the ABC methodology can result in 
the over-absorption of overhead costs, and that there is no meaningful 
method of assigning ``headquarters-level'' overhead

[[Page 66751]]

costs to services. The commenters further stated that such 
``headquarters-level'' costs, among others listed in the proposed rule, 
are properly considered ``business sustaining'' and should not be 
considered AQI program costs at all.
    A second commenter, representing the trucking industry, echoed the 
latter point, stating that AQI fees should apply only when related to 
the direct inspection of incoming conveyances. The commenter opposed 
charging carriers for activities not directly related to the costs and 
activities of inspecting commercial conveyances, such as administrative 
or headquarters-level costs, as well as costs incurred for pest 
identification, scientific research, and policy development.
    The difference in FY 2011 costs between the proposed rule and the 
GAO report resulted from the fact that the GAO report used preliminary 
results from the AQI user fee model, i.e., the model developed by Grant 
Thornton to calculate costs used to run the AQI program.
    In addition, the costs in the proposed rule separately show the 
cost of treatments, whereas the GAO cost numbers include the cost of 
treatments in each service or pathway. We followed Federal guidance 
related to fee setting and managerial cost accounting in determining 
AQI program costs. Specifically, we followed OMB Circular A-25: User 
Charges, which provides guidance on setting fees in the Federal 
government, and SFAS No. 4, which includes, among other things, a 
definition of full cost. OMB Circular A-25, which may be viewed at 
http://www.whitehouse.gov/omb/circulars_default, establishes the 
requirement that fees be set at full cost to the government, and 
provides a definition and examples for full cost. OMB Circular A-25 
specifically defines full cost to include the support costs referred to 
by both commenters above, as well as the other costs listed by the 
second commenter. Certain Agency-level centralized services support 
APHIS' programs, including the AQI program. Centralizing these services 
at the Agency level, rather than having each program area maintain 
these services individually, increases government efficiency while 
reducing costs through elimination of redundancy. In the paragraphs 
that follow, we provide a breakdown of the services that support the 
AQI program and also discuss the included imputed costs. There are 
fewer support costs than were included in the April 2014 proposed rule.
    The Environmental and Risk Analysis Services staff performs 
environmental assessments for the AQI program. This staff supports 
APHIS' mission of protecting and promoting American agriculture and 
natural resources by developing methodologies and providing 
documentation, training, advice, and technology for environmental 
compliance and risk-informed decisionmaking. This is accomplished by 
using the best available science and analytical methods to enable the 
Agency to make and implement decisions that are compliant with the U.S. 
environmental laws, other statutory obligations and policies, and 
international standards. These assessments are resources that are 
generally applicable to the AQI process. For example, this could 
include environmental impacts of methods used for the containment of 
pests introduced through the imports of goods. The AQI portion of these 
costs is assigned by the ratio of AQI full-time equivalents (FTEs) as a 
portion of APHIS' FTEs. (An FTE is the equivalent of the number of 
hours worked by one employee who works on a full-time basis.)
    The Human Resources staff provides central services for human 
resource services for all APHIS employees. Only the AQI portion of 
these costs is included in the fees, and is assigned by the ratio of 
AQI FTEs as a portion of APHIS FTEs. Human Resources' primary services 
are to help employees accomplish their AQI work by:

 Recruiting and hiring
 Providing insurance and retirements benefits information
 Processing salaries, promotions, recognition, and benefits
 Providing policy guidance on performance and labor management
 Providing supervisors the training and tools they need to 
carry out their mission
 Promoting the health, safety, and security of employees
 Planning for workforce and succession needs
 Offering seminars on employee and leadership development
 Providing coaching, mentoring, and leadership transition 
services for managers
 Supporting employee development through USDA's on-line 
training system, AgLearn

    The Information technology (IT) staff supports and maintains, or 
manages contracts for the various IT systems that are used by the AQI 
program. These systems include those that gather and analyze data 
related to threats from various pathways around the world, those that 
collect data used to support proper fee setting efforts, and those used 
to support permitting (especially used by importers). The AQI portion 
of these costs is assigned by the ratio of AQI FTEs as a portion of 
APHIS FTEs.
    Central and shared services include the costs of utilities and 
telecommunication. Shared services are used by many programs. The 
shared services include copy services and machines and printing 
services. Programs such as AQI use these shared services regularly as 
part of their mission. These are centralized services which increase 
efficiency and reduce operational cost. Each program pays a portion of 
the total cost. The AQI portion of these costs is assigned by the ratio 
of AQI FTEs as a portion of APHIS FTEs.
    APHIS depreciation costs are imputed costs and are associated with 
the square footage of facilities associated with AQI activities, e.g., 
plant inspection stations. The facilities depreciation is assigned to 
AQI based upon the square footage of facilities associated with the AQI 
program. The equipment costs, such as those attributable to equipment 
used in identification of pests and diseases, are associated with AQI 
FTEs so that the costs can be distributed to AQI activities.
    CBP also captures depreciation expenses, as opposed to the actual 
purchase price of property, plant and equipment, which is considered a 
capital expenditure (not an expense). Thus, the purchase is recorded as 
an asset and is then depreciated. Depreciation expense is the 
accounting process for capturing the cost of an asset by expensing it 
periodically throughout its useful life. While CBP frontline personnel/
FTEs perform a wide array of activities in addition to agriculture 
inspections, including border security between the ports, air and 
marine interdiction, and immigration and customs inspections, CBP 
distributes depreciation expenses of facilities and equipment across 
all mission area activities proportionally based on FTEs so that no 
activity is overcharged.
    USDA agencies and CBP also incur a series of costs, as required by 
law, related to their employees, including those employees who provide 
services to importers as part of the AQI programs. For example, USDA 
agencies are responsible for recognizing an imputed cost equal to the 
difference between the cost of providing retirement, health, and life 
insurance benefits to foreign employees and the contributions agencies 
currently remit to the State Department for them. The AQI portion of 
these costs is assigned by the ratio of AQI FTEs as a portion of APHIS 
FTEs.

[[Page 66752]]

    Office of Personnel Management imputed costs include costs for 
pensions, Federal employee health benefits, and Federal employee life 
insurance costs. These costs are directly associated with AQI FTEs. 
These costs are distributed to the AQI program based upon the ratio of 
AQI FTEs to Agency FTEs. CBP also incurs this expense and distributes 
this cost across all mission areas proportionally based on FTEs within 
the CBP ABC model.
    The Department allocates part of its imputed costs to each Agency. 
The AQI portion of these costs is assigned by the ratio of AQI FTEs as 
a portion of APHIS FTEs. These costs can be found in the USDA fiscal 
year 2015 Budget Explanatory Notes (Departmental Administration, found 
at http://www.obpa.usda.gov/04da2015notes.pdf).
    Unemployment compensation is a financial liability that must be 
accounted for (all organizations that follow generally accepted 
accounting principles account for this). These are costs that are 
associated with FTEs, and, as such, the liability is distributed to AQI 
based upon the ratio of AQI FTEs as a portion of APHIS FTEs. CBP also 
incurs this expense and distributes this cost across all mission areas 
proportionally based on FTEs.
    The Federal Employees' Compensation Act (FECA; 5 U.S.C. Chapter 81) 
provides compensation benefits to Federal employees for work-related 
injuries or illness and to their surviving dependents if a work-related 
injury or illness results in the employee's death. The FECA is 
administered by the Department of Labor (DOL), Office of Workers' 
Compensation Programs (OWCP). OWCP district offices adjudicate the 
claims and pay benefits, and the costs of those benefits are charged 
back to the employing agency. We have two unfunded liability-type 
costs: FECA unfunded accrual balance and FECA actuarial liability 
balance.
    The FECA unfunded accrual balance is the current year's actual FECA 
expense paid by the DOL during the current year on APHIS' behalf. The 
FECA Special Benefits Fund pays benefits on behalf of Federal entities 
as costs are incurred and bills the Federal entity annually for the 
costs. The liabilities due to the FECA Special Benefits Fund are 
considered as unfunded at the time of receipt of the bill. Each Federal 
entity must record its portion of the FECA unfunded liability based on 
amounts provided by S. DOL. The entity's unfunded liability balance 
must equal the amount provided by DOL.
    The FECA actuarial liability balance is DOL's estimate of FECA 
payments that will be made by DOL on behalf of APHIS in the future. The 
balance is periodically adjusted to reflect the current liability 
estimate. The actuarial estimate for the FECA unfunded liability is 
determined by the DOL using a method that utilizes historical benefit 
payment patterns related to a specific incurred period to predict the 
ultimate payments related to that period. The projected annual benefit 
payments are discounted to present value using OMB's economic 
assumptions for 10-year Treasury notes and bonds, and the amount is 
further adjusted for inflation. The projected number of years of 
benefit payments is about 35 years. Each federal entity must record its 
portion of the FECA actuarial liability based on amounts provided by 
the DOL. The agencies' actuarial liability balance must equal the 
amounts provided by DOL. The AQI portion of these costs is assigned by 
the ratio of AQI FTEs as a portion of APHIS FTEs. CBP also incurs this 
expense and distributes this cost across all mission areas 
proportionally based on FTEs.
    USDA agencies are responsible for recording the unfunded liability 
for credit hours, annual leave, and compensatory leave. As employees 
expend credit hours, annual leave, and compensatory leave, these costs 
are expensed in the account(s) where those employees' salaries are 
ordinarily charged. Annual expenses of these amounts are thus already 
included as costs in those accounts. To identify the additional costs 
we have annually for unfunded leave, APHIS is required to capture the 
change in the unfunded leave balance from the end of the prior fiscal 
year. The difference between the 2 years is the amount of leave 
liability that must be accounted for. APHIS pro-rates this amount based 
upon the number of AQI FTEs as a portion of the total Agency FTEs. CBP 
also incurs this expense and distributes this cost across all mission 
areas proportionally based on FTEs.
    Two commenters stated that indirect employee costs, such as 
workers' compensation expenses, are being incorporated into the new 
rate structure, but APHIS did not provide sufficient details on those 
costs. The commenters asked that APHIS provide this information as well 
as a concise accounting of related expenses associated with any 
cooperative agreements which utilize other Agency resources to perform 
AQI functions.
    A detailed breakdown of the costs to which the commenters refer has 
been provided above. OMB Circular A-25, referred to earlier in this 
document, establishes Federal policy regarding fees assessed for 
government services. The Circular describes ``full cost'' as including 
all direct, support, and imputed costs to any part of the Federal 
Government of providing a good, resource, or service. This includes all 
direct and imputed personnel costs, such as worker's compensation 
costs. Indirect personnel costs are listed under imputed costs in 
Tables 1, 4, 6, 7, 8, 9, and 10 below. Cooperative agreement costs are 
completely separate from the AQI user fees. No cooperative agreement 
costs are included in the user fees and no user fee costs are included 
in cooperative agreement charges.
    One commenter asked that APHIS provide additional data to 
demonstrate that the user fees charged for one user fee category would 
not be used to subsidize inspections of another type of user fee 
category. The commenter asked that we provide the dollar amount, if 
any, under the proposed rule that each user is projected to pay in AQI 
costs for a different class or classes of user for FYs 2015 through 
2020.
    User fees charged to one class of users will not be used to 
subsidize inspections of another class of users. As noted throughout 
this document, the use of cost accounting principles ensures that costs 
are aligned with activities that generate those costs and that costs 
can only be counted once.
    One commenter asked that we provide all inputs into the cost base 
for the proposed AQI user fees that arise from non-AQI activities.
    The AQI costs model calculations for the user fees did not include 
non-AQI costs. The model captured the non-AQI costs, but did not 
include them in the fee calculations.
    Two commenters asked APHIS to provide the dollar amount of costs 
included in the AQI cost base for any and all types of users that are 
incurred at locations outside of U.S. customs territory.
    Costs for offshore activities, i.e., those performed outside the 
customs territory of the United States, are not directly related to the 
AQI program and are not included in the AQI cost base.
    APHIS has provided summary tables by fee class (see Tables 1, 4, 6, 
7, 8, 9, and 10 below), that identify the costs to the Federal 
Government of providing AQI services. These costs, including support 
and imputed costs, are accounted for in the APHIS and CBP financial 
systems of record. APHIS and CBP use the ABC methodology to align these 
costs with the activities of each fee class.

[[Page 66753]]

    ABC is a two-step approach. First, financial costs are associated 
with program activities by the level of effort employed for each 
activity as determined by labor surveys, time and attendance data, and 
other available data. Second, the activity costs are then aligned with 
the fee classes to determine the fee class costs. A unit cost is 
calculated by dividing the total cost of the AQI fee class by the 
number of passengers or conveyances subject to inspection or other 
action in a given year, based on historical data. This `raw fee' is 
rounded up to ensure that revenue is sufficient to maintain the reserve 
balance. APHIS used data from 3 years of expenditures, FYs 2010 through 
2012, to derive the new fee rates.
    APHIS and CBP rely on the reserve account in years where program 
costs are greater than the revenue collected. While these funds can 
carry over from year to year, they are used for one-time costs 
associated with the AQI program, such as capital improvements and to 
cover the program costs when the revenue generated is less than the 
cost of the program. It is important not to include one-time costs in 
the calculation of the fees because doing so would overinflate the true 
cost of providing services. The ABC methodology ensures that the 
revenue collected will cover program costs and reserve requirements 
over the period the fees are in effect. While the reserve account is a 
single fund, the projected reserve amounts that each fee class would 
contribute to the AQI program reserve are included separately in the 
summary tables, to transparently show the total revenue generated by 
each fee class.
    In response to concerns expressed by numerous commenters, we have 
made some changes to our methodology for calculating the AQI reserve 
amounts. As noted above, in calculating the fees for the April 2014 
proposed rule, we relied upon a rounding method for generating the 
revenue to fund the reserve account. We rounded the fee up to the 
nearest $1 for fees less than $100 and to the nearest $25 for fees over 
$100. The use of this rounding method would have enabled us to achieve 
our reserve funding targets for the AQI program in 3 years. In this 
final rule, however, the fees by class are based on a 3-year average of 
the AQI costs, FYs 2010-2012, that have been inflated to FY 2016 
dollars. To fund the reserve, these base fees are increased by 3.5 
percent. Our use of this method has resulted in the reduction of all 
the fees contained in the April 2014 proposed rule except the 
commercial aircraft fee, the commercial cargo vessel fee, and the 
commercial cargo railcar fee. Under the 3.5 percent funding approach, a 
greater portion of these fees would have been used for funding the 
reserve than with the original rounding approach. The 3.5 percent 
reserve funding approach would have raised these three fees above their 
proposed levels. In order to ensure sufficient notice for affected 
entities, however, APHIS has decided not to raise any fees above those 
contained in the April 2014 proposed rule.

Commercial Air Passenger and Commercial Aircraft User Fees

    One commenter asked that APHIS provide data underlying the proposed 
$4 AQI air passenger user fee.
    Using our revised model for calculating the reserve resulted in a 
reduction of the air passenger fee to $3.96 in this final rule. Further 
breakdown of the calculations leading to the new air passenger AQI user 
fee is shown below in Table 1.

                 Table 1--Air Passenger Fee Calculation
------------------------------------------------------------------------
 
------------------------------------------------------------------------
                         Air Passenger Fee $3.96
------------------------------------------------------------------------
FY 2010 data:
  APHIS AQI FTEs........................................             223
  APHIS Total Cost......................................     $21,711,724
  APHIS Imputed Cost....................................      $1,593,447
  APHIS and USDA Support Cost...........................       1,910,180
  CBP Total Cost........................................     266,497,469
  CBP Imputed Cost......................................      21,951,183
  CBP and DHS Support Cost..............................      87,468,279
  Reserve Amount........................................     $14,527,679
  Number of Passengers..................................      76,448,705
  Calculated Unit Cost..................................           $3.77
FY 2011 data:
  APHIS AQI FTEs........................................             224
  APHIS Total Cost......................................     $20,829,319
  APHIS Imputed Cost....................................      $1,566,108
  APHIS and USDA Support Cost...........................         391,307
  CBP Total Cost........................................     270,317,238
  CBP Imputed Cost......................................      20,470,874
  CBP and DHS Support Cost..............................      84,458,217
  Reserve Amount........................................     $21,082,947
  Number of Passengers..................................      78,901,506
  Calculated Unit Cost..................................           $3.69
FY 2012 data:
  APHIS AQI FTEs........................................             225
  APHIS Total Cost......................................     $22,604,086
  APHIS Imputed Cost....................................      $2,051,921
  APHIS and USDA Support Cost...........................       1,779,664
  CBP Total Cost........................................     287,962,928
  CBP Imputed Cost......................................      20,471,708
  CBP and DHS Support Cost..............................      85,405,303
  Reserve Amount........................................     $-4,491,747
  Number of Passengers..................................      77,255,476
------------------------------------------------------------------------

    One commenter expressed concern that APHIS may be charging the 
aircraft fee for passenger flights and suggested working together to 
secure refunds for those parties who were incorrectly charged.
    The international air passenger user fee covers the costs for 
services related to the inspection of selected passenger baggage and 
the oversight of the handling of regulated garbage generated on 
airplanes carrying passengers entering the customs territory of the 
United States. Our mission is to prevent the entry of foreign 
agricultural plant pests and diseases into the United States. APHIS can 
include the cost of inspecting commercial aircraft that carry 
passengers in the international air passenger user fee if those costs 
directly relate to passenger baggage or regulated garbage. APHIS does 
not include the cost of inspecting cargo or the cargo hold area of the 
plane in the passenger fees.
    The commercial aircraft user fee pays the costs of inspecting the 
aircraft itself, cargo inspection, the cargo hold, and the costs of 
monitoring aircraft disinfection if: (1) Such services occur during the 
regular hours of service (8 a.m. to 4:30 p.m. Monday through Friday) or 
(2) inspection of the cargo is concurrent with inspection of the 
aircraft.\2\ Cargo owners may request inspection outside of regular 
business hours, but would be subject to reimbursable overtime costs 
under 7 CFR 354.1 in addition to the applicable AQI user fee. Airlines 
send their payments to our lockbox quarterly, no more than 31 days 
after the close of each quarter along with a written statement with 
required information as detailed in Sec.  354.3(e)(3). The system is 
based on self-reporting; however, regular audits are conducted to make 
sure payment is received for all aircraft covered by this fee. If an 
entity is incorrectly charged a commercial aircraft fee, the entity can 
direct its refund inquiry to the Supervisor of the Financial Management 
Division's Debt Management Team. The type of proof or documentation the 
airline sends to the team to support its refund request depends on the 
exemption in Sec.  354.3(e)(2) that the airline believes itself 
entitled to, and the documentation thus varies.
---------------------------------------------------------------------------

    \2\ Even if a plane carries no cargo, it is subject to 
inspection because it could carry insect pests, weed seeds, waste 
material from garbage, or other waste that is capable of harboring 
animal disease.
---------------------------------------------------------------------------

    One commenter asked that we provide CBP's costs, from each FY from 
2010 to the present, for providing preclearance or pre-inspection 
services to commercial air passengers at locations outside the customs 
territory of the United States.

[[Page 66754]]

    Table 2 below contains CBP's preclearance costs for FY 2012 through 
FY 2014. CBP charges costs appropriately based on activity whether it 
is immigration, customs, or agriculture.

                                  Table 2--Air Passenger Preclearance Expenses
----------------------------------------------------------------------------------------------------------------
                Data in whole dollars                       FY 2012             FY 2013             FY 2014
----------------------------------------------------------------------------------------------------------------
Preclearance Expenses...............................        $86,600,433         $93,537,883        $105,495,491
----------------------------------------------------------------------------------------------------------------

    Several commenters expressed concern regarding the impact of the 
rule on express consignment carriers. (As defined in 19 CFR part 128, 
an express consignment carrier is ``an entity . . . moving cargo by 
special express commercial service under closely integrated 
administrative control. Its services are offered to the public under 
advertised reliable, timely delivery on a door-to-door basis. An 
express consignment operator assumes liability to Customs for the 
articles in the same manner as if it is the sole carrier.'') One 
commenter stated that the commercial aircraft user fee is not 
commensurate with the cost of providing AQI services to express 
consignment carriers. Several commenters expressed concern that the 
costs for use of office space, equipment, and supplies, which express 
consignment carriers are required to provide to CBP under 19 U.S.C. 
58c(b)(9)(B)(ii) and 19 CFR. 128.11(b)(7)(iii) in Express Consignment 
Clearance Facilities (ECCFs), which are essentially bonded warehouses 
that are able to handle express high volume parcel flows into the 
United States, have been included in the calculation for the AQI 
commercial aircraft fee, resulting in duplicate fee assessments.
    The Trade Act of 2002 (Pub. L. 107-210) section 337, codified as 19 
U.S.C. 58c (b)(9)(A)(ii) and (b)(9)(B), authorized the establishment of 
the ECCF fee to reimburse CBP for the customs processing costs incurred 
at those facilities. The original fee was set at 66 cents per 
individual airway bill or bill of lading and was later increased to $1 
effective July 2008. Congress also mandated that 50 percent of the ECCF 
fee collection be paid to the Secretary of the Treasury. Because the 
other half of the ECCF fees are deposited in the Customs User Fee 
Account, for budgetary purposes, they are reported as part of the 
Consolidated Omnibus Budget Reconciliation Act (COBRA) user fees. 
Together, the COBRA and ECCF User Fees financially support certain, 
statutorily-enumerated costs related to customs inspection functions. 
These user fees support the customs inspection functions performed by 
CBP and the Customs Broker Program. These user fees support CBP's 
mission of facilitating legitimate trade and travel while keeping the 
United States secure. CBP collects Express Consignment Fees to help 
recover the costs of providing customs cargo processing services to 
express consignment carriers or centralized hub facilities. The fee is 
not for agricultural inspection services.
    AQI user fees reimburse agriculture inspections in ECCFs because 
these activities are separate from the customs processing costs 
incurred at those facilities. The ABC model uses a series of financial 
and workload data to derive CBP program costs. The ECCF fees under 
COBRA only support the customs inspections and the AQI user fees only 
support the agriculture inspections. CBP charges, tracks, and reports 
this activity using its ABC systems and analyses.
    The user fee does not differ based on the class of aircraft 
inspected because the risks we are seeking to address and nature of the 
AQI services provided do not differ based on the class of aircraft 
inspected. The costs associated with the inspection of commercial 
aircraft are averaged, and all flights pay the same user fee. CBP also 
does not differentiate between types of commercial aircraft carrying 
cargo. There is no duplication of costs in the fees. The ABC model 
gathers costs by activity type and drives those costs to the cost pools 
by fee type. The costs from the financial systems of APHIS and CBP are 
entered into the ABC model, and the output of the model must equal 
those costs entered into the model, thereby ensuring that all costs are 
accounted for and that no cost was duplicated. Therefore, the costs for 
use of office space, equipment, and supplies, which express consignment 
carriers are required to provide to CBP under 19 U.S.C. 
58c(b)(9)(B)(ii) and 19 CFR 128.11(b)(7)(iii) in ECCFs, have not been 
included in the calculation for the AQI commercial aircraft fee.
    Several commenters asked APHIS to explain its claimed cost 
differentials between private and commercial aircraft inspections. The 
commenters stated that exempting private aircraft from paying user fees 
creates a competitive distortion because private aircraft compete with 
commercial aircraft to some extent. The commenters also stated that 
exempting private aircraft from the user fees is contrary to the FACT 
Act.
    The Airport and Airway Development Act of 1970 limits charges to 
private aircraft to $25.00. Private aircraft are defined by the Act as 
not being used to transport passengers or property for compensation. 
Currently, no AQI fees are collected for the inspection of private 
aircraft and their passengers. The cost is less than $13 million, and 
the additional cost of creating and operating fee collections led us to 
recommend that private aircraft and their passengers continue not to be 
subject to an AQI user fee. APHIS is not required to charge fees to any 
specific group of service users. The FACT Act authorizes APHIS to 
establish fees in a reasonable manner to recover funds spent on 
safeguarding activities. As stated previously, those costs not 
recovered through a user fee are paid for through appropriated funding.
    One commenter asked that APHIS provide information concerning the 
penalty collections and how they may offset our AQI costs.
    Penalty collections do not offset the costs we incur in 
administering the AQI program. Penalties are assessed separately under 
a different authority than the authority under which APHIS conducts its 
AQI user fee program. Any amounts the Federal Government assesses in 
fines to individuals or parties whom we catch attempting to smuggle 
prohibited items, such as fruits, vegetables, plant pests or flower 
bulbs, into the United States are sent to a general fund at the U.S. 
Treasury Department. The fines are not deposited into any AQI account 
or used to pay for AQI services.
    The same commenter requested more information on how the Agency 
projects the pool of users from which it proposes to recover costs. 
Specifically, the commenter asked that APHIS provide the source of data 
and any assumptions made regarding the annual number of both 
international airline passenger arrivals and international aircraft 
arrivals in the United States that APHIS anticipates will be subject to 
AQI fees. The commenter also asked for a description of any internal or 
external review of this data or quality control of this data.
    A second commenter also asked that APHIS identify the base numbers 
used

[[Page 66755]]

for airline passenger and aircraft arrivals in the Grant Thornton study 
and the regulatory impact analysis (RIA) that accompanied the proposed 
rule and compare them to industry-standard sources such as the U.S. 
Department of Transportation's T-100 data. The commenter also asked 
that APHIS verify the reliability of data derived from the workload 
projections listed in Table 6 of the proposed rule and asked for the 
number of users of AQI services that do not pay AQI fees.
    We used data provided by the International Air Transport 
Association (IATA) regarding the annual number of international 
aircraft and international airline passenger arrivals in the United 
States. The T-100 data includes data provided by IATA. The Grant 
Thornton study used preliminary results from the AQI model in order to 
provide information for APHIS decisionmaking for the proposed user fee 
rates. The study had many fee structure options for AQI cost recovery. 
Once the decisions on fees were made, Grant Thornton finalized the ABC 
model that provided the figures found in the proposed rule based on the 
user fee setting guidance provided by GAO. Based on the data we 
received, APHIS determined that the actual and estimated volumes of 
passengers and conveyances provided in Table 6 of the proposed rule are 
accurate and the amount of service users that do not pay user fees can 
be readily calculated.
    One commenter asked for a description and the number of any and all 
types of aircraft not subject to AQI fees. The commenter also asked 
what the costs were of inspecting types of aircraft not subject to AQI 
fees.
    Under Sec.  354.3(e)(2)(iv), all passenger aircraft originating in 
any country that have 64 or fewer seats and that do not carry certain 
regulated articles are exempt from paying the aircraft AQI user fee. 
APHIS maintains the 64-seat plane size distinction in harmony with CBP 
and other U.S. Government agencies with jurisdiction over civil 
aviation. APHIS does not maintain data on the number of exempted 
arrivals because the airlines do not report those flights. In FY 2012, 
the most recent year for which we have data, the cost of inspecting 
aircraft not subject to AQI fees was $12,361,173.16. Those costs not 
recovered through a user fee are paid for through appropriated funding.
    Commenters requested information regarding the number of penalties 
and the dollar amount of any and all penalties assessed or paid for AQI 
violations for: (1) Commercial aircraft carrying only passengers and 
passenger baggage (no cargo), (2) commercial aircraft engaged solely in 
the transportation of cargo, (3) commercial aircraft carrying 
passengers and passenger baggage and cargo, and (4) private aircraft 
for each year between FY 2010 and the present. It was requested that we 
provide the number of pest interceptions for each of these types of AQI 
aircraft inspection for each year between FY 2010 and the present.
    The collection of civil penalties and assessments is authorized 
under 31 U.S.C. 3806. Under this authority, APHIS and CBP assess 
penalties for AQI violations and remit the funds as miscellaneous 
receipts in the Treasury of the United States. The dollar amount of 
penalties assessed for AQI violations between FY 2010 and FY 2013 are 
shown below in Table 3. Please note that this data is not limited to 
aircraft. Because APHIS does not track penalties in accordance with the 
categories the commenters provided (commercial airline, noncommercial 
airline, etc.), we are not able to provide that level of specificity.

                                 Table 3--Penalties Assessed for AQI Violations
                                           [Figures in whole dollars]
----------------------------------------------------------------------------------------------------------------
                                                               Dept. of Agriculture
                                 -------------------------------------------------------------------------------
                                        FY 2010             FY 2011             FY 2012             FY 2013
----------------------------------------------------------------------------------------------------------------
Fines, Fees, and Forfeitures....         $3,881,627          $3,466,238          $2,860,793          $2,857,019
----------------------------------------------------------------------------------------------------------------

    All arriving international commercial flights are subject to the 
commercial airline clearance fee and inspection. APHIS does not collect 
pest interception data in a manner that allows distinction based upon 
the airline flight categorization model. For example, we do not 
distinguish carriers carrying special express items from others. We 
maintain pest interception data only to make risk decisions using 
applicable risk data such as country of origin, transit country, host 
material, etc. Collecting pest interception data for the categories 
suggested by the commenter would be administratively burdensome to 
maintain and would not improve our ability to make risk-based 
decisions.
    Two commenters asked for specific information related to commercial 
aircraft and airline passenger AQI user fees. The commenters asked that 
APHIS provide, for each FY from 2010 to the present, the total cost of 
AQI inspections for each type of aircraft operation, the number of AQI 
inspections performed, broken out by type of inspection if there are 
different types, and the time spent on AQI inspections performed for 
each type of aircraft operation. The commenters asked that the aircraft 
operation types be quantified and broken down into the following 
categories: Commercial aircraft carrying only passengers and passenger 
baggage (no cargo), commercial aircraft engaged solely in the 
transportation of cargo, commercial aircraft carrying passengers and 
passenger baggage and cargo (``combination'' services), private 
aircraft, and any other categories of aircraft not included elsewhere.
    APHIS designed its AQI user fee structure to be simple and easily 
understood. This allows our stakeholders to save on effort and cost for 
determining fee costs and what would be payable to APHIS under a 
complex fee structure. APHIS and CBP save resources and costs by not 
having to design a process for administering a complex fee structure. 
This helps to keep the fee costs to the payer as low as possible. A 
simple fee structure benefits both the stakeholders and the Federal 
Government. As mentioned above, it would be administratively burdensome 
to charge and audit a multitude of fees for the many different types of 
commercial aircraft and their cargo that enter the United States. 
Federal guidance states that costs should be estimated from the best 
available records and that new systems need not be established solely 
for the purpose of fee setting. Further breakdown of the cost 
calculations for the commercial aircraft AQI user fee is shown below in 
Table 4. This fee did not change as a result of the modification in our 
method of calculating the reserve.

[[Page 66756]]



              Table 4--Commercial Aircraft Fee Calculation
------------------------------------------------------------------------
 
------------------------------------------------------------------------
                     Commercial Aircraft Fee $225.00
------------------------------------------------------------------------
FY 2010 data:
  APHIS AQI FTEs........................................          295.38
  APHIS Total Cost......................................     $56,315,442
  APHIS Imputed Cost....................................      $4,217,943
  APHIS and USDA Support Cost...........................      $5,427,502
  CBP Total Cost........................................     $98,929,370
  CBP Imputed Cost......................................      $8,089,831
  CBP and DHS Support Cost..............................     $32,682,288
  Reserve Amount........................................     $-7,323,737
  Number of Aircraft....................................         657,427
  Calculated Unit Cost..................................         $236.14
FY 2011 data:
  APHIS AQI FTEs........................................          290.68
  APHIS Total Cost......................................     $55,601,929
  APHIS Imputed Cost....................................      $4,203,426
  APHIS and USDA Support Cost...........................      $2,266,408
  CBP Total Cost........................................    $105,721,353
  CBP Imputed Cost......................................      $7,783,047
  CBP and DHS Support Cost..............................     $32,007,936
  Reserve Amount........................................     $-3,678,381
  Number of Aircraft....................................         700,644
  Calculated Unit Cost..................................         $230.25
FY 2012 data:
  APHIS AQI FTEs........................................             290
  APHIS Total Cost......................................     $54,520,540
  APHIS Imputed Cost....................................      $4,153,439
  APHIS and USDA Support Cost...........................      $2,554,914
  CBP Total Cost........................................    $103,225,589
  CBP Imputed Cost......................................      $7,340,236
  CBP and DHS Support Cost..............................     $30,530,745
  Reserve Amount........................................      $4,085,346
  Number of Aircraft....................................         719,251
  Calculated Unit Cost..................................         $219.32
------------------------------------------------------------------------

    Several commenters asked for a detailed description of the 
categories of costs that are covered by the aircraft AQI fee applicable 
to commercial passenger aircraft (cargo inspections, inspections of 
cargo hold area, passenger baggage, etc.).
    The commercial passenger aircraft AQI fee covers the following 
categories of costs:

     Table 5--APHIS and CBP AQI Activities Related to Commercial Air
                               Passengers
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
APHIS AQI Activities Related to Commercial Air Passengers:
  --Asian Gypsy Moth Offshore (AGM) Mitigation Program Coordination and
   Operations.
  --AQI Outreach.
  --CITES program and enforcement.
  --Containment Facilities.
  --Database Management Operations.
  --Design, present, receive non AQI-related training (Department
   required training).
  --Develop Quarantine Policy for the Ports of Entry.
  --Develop Regulations, Manuals and Standards.
  --Emergency Action Notifications.
  --Manage Agency Quality Assurance Program.
  --Manage the Import Permitting Process.
  --Manage the Pest Permitting Process.
  --National Clean Plant Network (import).
  --Offshore Pest Information Program (OPIP) operations.
  --Perform pest and disease identification.
  --Perform Trend Analysis.
  --Policy Development and Implementation.
  --Port Environs Survey.
  --Post-entry Quarantine Operations (PEQ).
  --Propagative Plants and Plant Materials Inspection Operations.
  --Provide Investigative Enforcement Services.
  --Safeguarding.
  --Smuggling, Interdiction, & Trade Compliance (SITC) Operations.
  --Support overseas programs.
  --Trade.
  --Verification of Compliance Agreements, Accreditation and
   Certification Programs.
------------------------------------------------------------------------
CBP AQI Activities Related to Commercial Air Passengers:
  --Cargo--Air.
  --Compliance Checks--Air.
  --Non-Intrusive Technology--Passenger--Air.
  --Examine--Compliant Passengers--Air.
  --Interception Process--Air.
  --Individual Mail.
  --Interception Process--Mail.
  --Safeguarding.
  --Antiterrorism--Trade.
  --NTC (National Targeting Center).
  --Courier Mail.
  --Compliance Checks--Misc.
  --Cut Flower Release--Air.
  --Informed Compliance--Air.
  --Antiterrorism--Passenger--Air.
  --Identify--Air.
  --Examine--Noncompliant Passengers--Air.
  --Personnel Management & Development.
------------------------------------------------------------------------

    Several commenters asked for an explanation and data supporting the 
manner in which the proposed rule allocates AQI user fees between air 
passenger and aircraft operators in the case of expenses listed twice 
(once for each type of user) in the proposed rule, namely monitoring 
and storage of regulated garbage and removal of regulated garbage from 
the aircraft and inspection of the aircraft hold, as well as any other 
AQI cost categories that are attributed to more than one payer.
    Both the structure of the official financial accounting system of 
record, which follows Federal accounting standards, and the ABC 
analysis software do not allow the counting of costs more than once. 
The use of the ABC model as well as the software program used ensures 
that costs are not counted twice. The ABC methodology uses a causal 
relation between resources (general ledger costs) and activities and 
activities and user fees. We used workload data associated with each 
activity, based on a causal relationship, to ``drive'' the costs to the 
appropriate fee area. In addition, the modeling software ensures that 
the cost coming into the model (data from the official financial 
accounting system of record) is equal to the costs that are assigned to 
each ``layer'' of the model (activities and fees/services).
    APHIS does not track the action of removing and disposing of 
regulated garbage, but rather captures those costs through various 
activities. There is no need or requirement within the cost model to 
use such information because the actions relative to regulated garbage 
are included within the existing activities, and therefore, do not 
provide information for decisionmaking in fee setting. Compliance 
checks and verification of compliance agreements are two key activities 
related to regulated garbage. ABC analysis captures the cost of 
compliance checks for various conveyance modes in separate activities 
and assigns the costs to the appropriate fees. Compliance checks 
performed by CBP cost approximately $15 million, and this activity cost 
was assigned to the calculation of the fee for passenger aircraft and 
cargo aircraft based on the number of compliance inspections performed 
for each type of aircraft. Verification of compliance agreements, 
performed by APHIS, costs approximately $4.5 million, and is assigned 
to all cargo outputs (modes) because this cost is not initially 
captured by mode. Another example of an activity that is not explicitly 
counted and tracked is pest identification performed by APHIS 
employees. This activity is performed for all modes, and the cost of 
the activity is assigned to each mode based on the number of pest 
identifications performed for each mode using workload data recorded by 
APHIS.
    Several commenters asked for an explanation of the types of 
aircraft operations subject to the fee variously referred to in the 
proposed rule, RIA, and supporting documents as ``Commercial Air (Cargo 
only),'' ``Commercial Aircraft,'' and ``air cargo fee.''
    The regulations in 7 CFR 354.3 define a ``commercial aircraft'' as 
any aircraft used to transport persons or property for compensation or 
hire. This term may refer to aircraft carrying either passengers or 
cargo or a mixture of both

[[Page 66757]]

passengers and cargo. The term ``commercial air (cargo only)'' refers 
to those commercial aircraft carrying only cargo. The term ``air cargo 
fee'' may be used interchangeably with ``commercial aircraft user 
fee,'' and applies to aircraft carrying passengers (and cargo).

Commercial Vessel (Cruise) Passenger and Commercial Vessel User Fees

    One commenter asked that APHIS provide data underlying the proposed 
$2 AQI commercial vessel (cruise) passenger user fee.
    As a result of the change in our method for calculating the reserve 
amount, this fee has been reduced to $1.75 in this final rule, while 
the vessel fee remains unchanged from that contained in the proposed 
rule. Further breakdown of the calculations leading to the new sea 
passenger and commercial vessel AQI user fees are shown below in Tables 
6 and 7.

      Table 6--Commercial Vessel (Cruise) Passenger Fee Calculation
------------------------------------------------------------------------
 
------------------------------------------------------------------------
             Commercial Vessel (Cruise) Passenger Fee $1.75
------------------------------------------------------------------------
FY 2010 data:
  APHIS AQI FTEs........................................               7
  APHIS Total Cost......................................      $2,011,416
  APHIS Imputed Cost....................................        $149,332
  APHIS and USDA Support Cost...........................        $175,193
  CBP Total Cost........................................     $16,315,113
  CBP Imputed Cost......................................      $1,348,650
  CBP and DHS Support Cost..............................      $4,892,097
  Reserve Amount........................................      $1,971,842
  Number of Passengers..................................      11,599,069
  Calculated Unit Cost..................................           $1.58
FY 2011 data:
  APHIS AQI FTEs........................................               9
  APHIS Total Cost......................................      $2,352,414
  APHIS Imputed Cost....................................        $179,034
  APHIS and USDA Support Cost...........................         $94,061
  CBP Total Cost........................................     $21,322,812
  CBP Imputed Cost......................................      $1,405,434
  CBP and DHS Support Cost..............................      $5,269,074
  Reserve Amount........................................     $-1,034,502
  Number of Passengers..................................      12,931,271
  Calculated Unit Cost..................................           $1.83
FY 2012 data:
  APHIS AQI FTEs........................................               9
  APHIS Total Cost......................................      $2,301,838
  APHIS Imputed Cost....................................        $171,207
  APHIS and USDA Support Cost...........................         $95,235
  CBP Total Cost........................................     $19,891,404
  CBP Imputed Cost......................................      $1,405,065
  CBP and DHS Support Cost..............................      $5,326,912
  Reserve Amount........................................      $1,488,571
  Number of Passengers..................................      13,532,465
  Calculated Unit Cost..................................           $1.64
------------------------------------------------------------------------


               Table 7--Commercial Vessel Fee Calculation
------------------------------------------------------------------------
 
------------------------------------------------------------------------
                      Commercial Vessel Fee $825.00
------------------------------------------------------------------------
FY 2010 data:
  APHIS AQI FTEs........................................             188
  APHIS Total Cost......................................     $34,609,899
  APHIS Imputed Cost....................................      $2,552,290
  APHIS and USDA Support Cost...........................      $3,502,650
  CBP Total Cost........................................     $54,959,507
  CBP Imputed Cost......................................      $4,522,814
  CBP and DHS Support Cost..............................     $17,740,837
  Reserve Amount........................................      $7,171,744
  Number of Vessels.....................................         117,262
  Calculated Unit Cost..................................         $763.84
FY 2011 data:
  APHIS AQI FTEs........................................             183
  APHIS Total Cost......................................     $31,795,471
  APHIS Imputed Cost....................................      $2,383,368
  APHIS and USDA Support Cost...........................      $1,392,632
  CBP Total Cost........................................     $62,330,388
  CBP Imputed Cost......................................      $4,490,189
  CBP and DHS Support Cost..............................     $17,602,759
  Reserve Amount........................................    $-10,145,808
  Number of Vessels.....................................         101,794
  Calculated Unit Cost..................................         $924.67
FY 2012 data:
  APHIS AQI FTEs........................................             182
  APHIS Total Cost......................................     $30,714,122
  APHIS Imputed Cost....................................      $2,320,790
  APHIS and USDA Support Cost...........................      $1,730,986
  CBP Total Cost........................................     $62,745,589
  CBP Imputed Cost......................................      $4,440,037
  CBP and DHS Support...................................     $17,605,694
  Reserve Amount........................................        $365,064
  Number of Vessels.....................................         113,727
  Calculated Unit Cost..................................         $821.79
------------------------------------------------------------------------

    The current regulations provide an exemption from the payment of 
user fees for the crew members on duty on an arriving aircraft. In the 
proposed rule, we proposed to allow the same exemption for crew members 
on duty aboard an arriving cruise ship. One commenter asked for 
clarification as to the definition of a crew member on duty, since 
ships have operations, maintenance and inspection requirements, and 
schedules that are radically different than the air industry. 
Therefore, migrating the exemption for airlines to the shipping 
industry may not be the most precise and effective way to address this 
matter. The commenter asked that this exemption be reworded or 
clarified, for example, to apply to ``all persons onboard for purposes 
related to the operation of the ship.''
    We agree with the commenter that clarification is necessary 
regarding the definition of a crew member on duty. Therefore, we are 
amending the regulations to exempt from the sea passenger AQI user fee 
``all vessel crew members onboard for purposes related to the operation 
of the vessel.'' Such crew members include those that provide support 
for dining and entertainment.

Commercial Truck User Fees

    APHIS used CBP data associated with truck crossings at the border 
to determine the appropriate fee. We found that 91 percent of truck 
crossings at the border use transponders, and the remaining 9 percent 
of trucks pay the per-crossing commercial truck inspection fee. We are 
able to associate the total cost of commercial truck inspections with 
the transponder and per- crossing inspection fee based upon these 
percentages. Based upon the data CBP provided to Grant Thornton, it was 
determined that 9 percent of the total cost associated with the per-
crossing fee equated to the proposed fee of $8. As a result of the 
change in our methodology for calculating the reserve, however, the 
per-crossing fee has been reduced to $7.55 in this final rule. The 
transponder fee has undergone a corresponding reduction from $320 in 
the April 2014 proposed rule to $301.67 in this final rule. 
Approximately 64 percent of the cost of inspecting trucks with 
transponders will be covered by CBP's annual appropriation. Further 
breakdown of the calculations leading to the new commercial truck AQI 
user fee is shown below in Table 8.

                Table 8--Commercial Truck Fee Calculation
------------------------------------------------------------------------
 
------------------------------------------------------------------------
                          Commercial Truck Fee
------------------------------------------------------------------------
FY 2010 data:
  Per crossing @ $7.55:
      APHIS AQI FTEs....................................             8.9
      APHIS Total Cost..................................      $1,333,487
      APHIS Imputed Cost................................         $98,765
      APHIS and USDA Support Cost.......................        $124,512
      CBP Total Cost....................................      $5,075,771
      CBP Imputed Cost..................................        $417,721
      CBP and DHS Support Cost..........................      $1,258,435
      Reserve Amount....................................        $656,425
      Number of Trucks..................................         911,701
      Calculated Unit Cost..............................           $7.03
  Transponder @ $301.67
      APHIS AQI FTEs....................................            80.1
      APHIS Total Cost..................................     $13,483,031
      APHIS Imputed Cost................................        $998,620
      APHIS and USDA Support Cost.......................      $1.258,950
      CBP Total Cost....................................     $51,236,081
      CBP Imputed Cost..................................      $4,223,618
      CBP and DHS Support Cost..........................     $18,153,846
      Amount Paid through Appropriation.................     $31,838,590
      Number of Transponders Sold.......................         108,995
      Calculated Unit Cost..............................             N/A

[[Page 66758]]

 
FY 2011 data:
  Per crossing @ $7.55:
      APHIS AQI FTEs....................................             8.3
      APHIS Total Cost..................................      $1,204,362
      APHIS Imputed Cost................................         $91,087
      APHIS and USDA Support Cost.......................        $488,231
      CBP Total Cost....................................      $5,510,967
      CBP Imputed Cost..................................        $398,917
      CBP and DHS Support Cost..........................      $1,742,792
      Reserve Amount....................................        $276,673
      Number of Trucks..................................         931,391
      Calculated Unit Cost..............................           $7.21
  Transponder @ $301.67
      APHIS AQI FTEs....................................            74.7
      APHIS Total Cost..................................     $12,177,737
      APHIS Imputed Cost................................        $920,996
      APHIS and USDA Support Cost.......................        $488,231
      CBP Total Cost....................................     $55,709,551
      CBP Imputed Cost..................................      $4,033,489
      CBP and DHS Support Cost..........................     $17,621,560
      Amount Paid through Appropriation.................     $35,006,766
      Number of Transponders sold.......................         108,995
      Calculated Unit Cost..............................             N/A
FY 2012 data:
  Per crossing @ $7.55:
      APHIS AQI FTEs....................................             8.3
      APHIS Total Cost..................................      $1,291,233
      APHIS Imputed Cost................................         $95,921
      APHIS and USDA Support Cost.......................         $64,961
      CBP Total Cost....................................      $6,029,614
      CBP Imputed Cost..................................        $430,024
      CBP and DHS Support Cost..........................      $1,891,285
      Reserve Amount....................................      $8,051,901
      Number of Trucks..................................       1,066,477
      Calculated Unit Cost..............................           $7.63
Transponder @ $301.67:
      APHIS AQI FTEs....................................            74.7
      APHIS Total Cost..................................     $13,055,804
      APHIS Imputed Cost................................        $969,871
      APHIS and USDA Support Cost.......................        $654,099
      CBP Total Cost....................................     $60,966,102
      CBP Imputed Cost..................................      $4,348,022
      CBP and DHS Support Cost..........................     $19,122,988
      Amount Paid through Appropriation.................     $40,684,656
      Number of Transponders Sold.......................         110,509
      Calculated Unit Cost..............................             N/A
------------------------------------------------------------------------

    One commenter asked for further clarification of wording in the 
final rule to make it clear that inspections of commodities that are 
imported under existing phytosanitary agreements would be considered 
commercial truck inspections and would be subject to the commercial 
truck fee rather than the proposed new treatment fee.
    Any inspection undertaken after the new AQI user fees become 
effective would be subject to all applicable fees. Commercial trucks 
crossing the border are subject to inspection of both the trucks and 
their contents, and therefore subject to the commercial truck fees. If 
the contents of the shipment are required to undergo treatment to be 
eligible for U.S. entry, then the treatment fee would apply as well.

Commercial Rail User Fees

    Although we did not receive any comments regarding the new 
commercial rail AQI user fee, we are providing a further breakdown of 
the calculations leading to that user fee below in Table 9. That 
commercial rail fee remains the same as we proposed in the April 2014 
proposed rule.

                Table 9--Commercial Rail Fee Calculation
------------------------------------------------------------------------
 
------------------------------------------------------------------------
                        Commercial Rail Fee $2.00
------------------------------------------------------------------------
FY 2010 data:
  APHIS AQI FTEs........................................               5
  APHIS Total Cost......................................      $2,745,539
  APHIS Imputed Cost....................................        $204,796
  APHIS and USDA Support Cost...........................        $281,810
  CBP Total Cost........................................      $3,860,112
  CBP Imputed Cost......................................        $317,174
  CBP and DHS Support Cost..............................      $1,380,312
  Reserve Amount........................................     $-1,168,901
  Number of Rail Cars...................................       2,718,375
  Calculated Unit Cost..................................           $2.43
FY 2011 data:
  APHIS AQI FTEs........................................               5
  APHIS Total Cost......................................      $1,122,289
  APHIS Imputed Cost....................................         $85,461
  APHIS and USDA Support Cost...........................         $45,039
  CBP Total Cost........................................      $5,983,503
  CBP Imputed Cost......................................        $317,650
  CBP and DHS Support Cost..............................      $1,402,576
  Reserve Amount........................................     $-1,281,372
  Number of Rail Cars...................................       2,912,210
  Calculated Unit Cost..................................           $2.44
FY 2012 data:
  APHIS AQI FTEs........................................               5
  APHIS Total Cost......................................      $1,147,199
  APHIS Imputed Cost....................................         $85,432
  APHIS and USDA Support Cost...........................         $57,455
  CBP Total Cost........................................      $5,765,358
  CBP Imputed Cost......................................        $412,247
  CBP and DHS Support Cost..............................      $1,810,754
  Reserve Amount........................................       $-452,233
  Number of Rail Cars...................................       3,230,167
  Calculated Unit Cost..................................           $2.14
------------------------------------------------------------------------

Treatment User Fees

    Many commenters expressed concern regarding a perceived lack of 
transparency in how APHIS calculated the new cost category for 
treatments and lack of rationale for establishing the $375 treatment 
fee level.
    As discussed in greater detail below, we have decided to lower the 
treatment fee from the $375 that we originally proposed to $237 and 
phase it in over a 5-year period. The fee will be set initially at $47 
and then rise to $95 in the second year, $142 in the third, $190 in the 
fourth, and $237 in the fifth. APHIS recognizes that there are 
additional costs for providing treatment services during non-business 
hours. APHIS has determined that an equitable fee would provide a flat 
fee for services rendered during normal business hours, and the normal 
fee plus overtime costs for services rendered after hours. A breakdown 
of the calculations leading to the new treatment AQI user fee is shown 
below in Table 10.

                   Table 10--Treatment Fee Calculation
------------------------------------------------------------------------
 
------------------------------------------------------------------------
                         Treatment Fee $47.00 *
------------------------------------------------------------------------
FY 2010 data:
  APHIS AQI FTEs........................................              82
  APHIS Total Cost......................................      $8,596,204
  APHIS Imputed Cost....................................        $605,763
  APHIS and USDA Support Cost...........................        $918,924
  CBP Total Cost........................................             N/A
  CBP Imputed Cost......................................             N/A
  CBP and DHS Support Cost..............................             N/A
  Reserve Amount........................................     $-6,815,750
  Number of Treatments..................................          37,882
  Calculated Unit Cost..................................         $226.92
------------------------------------------------------------------------
                         Treatment Fee $95.00 *
------------------------------------------------------------------------
FY 2011 data:
  APHIS AQI FTEs........................................              80
  APHIS Total Cost......................................      $6,657,765
  APHIS Imputed Cost....................................        $479,722
  APHIS and USDA Support Cost...........................        $306,391
  CBP Total Cost........................................             N/A
  CBP Imputed Cost......................................             N/A
  CBP and DHS Support Cost..............................             N/A
  Reserve Amount........................................     $-3,058,975
  Number of Treatments..................................          29,713
  Calculated Unit Cost..................................        $ 226.92
------------------------------------------------------------------------
                         Treatment Fee $142.00 *
------------------------------------------------------------------------
FY 2012 data:
  APHIS AQI FTEs........................................           79.61
  APHIS Total Cost......................................      $5,915,416
  APHIS Imputed Cost....................................        $512,688
  APHIS and USDA Support Cost...........................        $344,521
  CBP Total Cost........................................             N/A
  CBP Imputed Cost......................................             N/A
  CBP and DHS Support Cost..............................             N/A
  Reserve Amount........................................       $-536,172
  Number of Treatments..................................          38,517
  Calculated Unit Cost..................................         $285.92
------------------------------------------------------------------------
* Table 10 shows how APHIS derived the treatment user fee for the first
  3 years of the 5-year implementation period.

    APHIS used the actual data to analyze the potential fee rates. We 
then applied

[[Page 66759]]

inflationary factors for those years that would be impacted by the fees 
in order to determine the correct fee amount, initially using the 
rounding method to ensure proper reserve funding. As noted above, in 
this final rule, APHIS has used a different method to calculate the 
reserve amounts, applying a flat 3.5 percent increase above the unit 
cost of providing AQI services to fund the AQI reserve.
    Stakeholders can use the methodology present in these tables by 
referring the projected total activity cost and projected counts of 
activities to replicate the data found in this table.
    One commenter stated that while APHIS indicates that there are 
certain activities related to the proposed new treatment fee, the exact 
components of conducting and monitoring treatments that warrant a $375 
fee are unclear. The commenter asked that APHIS clarify specific 
elements incorporated into the calculation of the treatment fee level 
and the costs associated with each component.
    As we have noted, in this final rule, we are lowering the treatment 
fee to $237. APHIS will phase this fee in over a 5-year period. APHIS 
prescribes different types of treatments for pests of quarantine 
significance when found upon inspection or for commodities that present 
high risk. There are various approved chemical treatments: Fumigants, 
dips, and sprays. The fumigants include methyl bromide, phosphine, and 
sulfuryl fluoride. Non-chemical treatments include cold treatment, hot 
water immersion, vapor heat treatment, steam sterilization, and 
irradiation. All the treatment types require specific methods and 
monitoring by APHIS personnel. APHIS determines the necessary resources 
(FTEs) put forth toward the treatment fee activity. This enables the 
ABC model to accurately assign costs to the treatments. This cost is 
then divided by the number of treatments that the APHIS personnel 
conduct or monitor.
    One commenter stated that some commodities require treatment, such 
as cold treatment or fumigation, as a condition of entry into the 
United States. The commenter suggested that, rather than assessing an 
additional fee for those commodities already treated prior to arrival 
at the U.S. port of entry, such commodities should only be subject to 
the treatment fee if a quarantine pest is found at the port of entry 
necessitating additional treatment and direct supervision by APHIS.
    The fee will be charged as the commenter suggests. Entities will be 
assessed the fee only if treatment is required and is performed in the 
United States and monitored by an APHIS inspector.
    One commenter asked whether the treatment fees also apply to 
oversight provided by APHIS for fumigations on commodities exported 
from the United States that require a phytosanitary certificate.
    Treatment services provided to facilitate export of U.S. 
commodities to foreign countries are not part of the calculated fee 
schedules. Exporters of U.S. commodities are charged a separate fee for 
export certification.

Stakeholder Input and Peer Review

    Several commenters stated that the process to develop the proposed 
rule was not transparent because APHIS failed to provide and share data 
and information used in developing the proposed rule with affected 
stakeholders prior to the proposal's publication. The commenters 
referred to Executive Order 13563, which requires regulatory agencies 
to seek out public participation in rulemaking, including affected 
stakeholders.
    Executive Order 13563 requires that regulatory agencies adopt 
regulations through a process involving public participation. To this 
end, APHIS held several stakeholder briefings to keep stakeholders 
informed during the evaluation of our user fee program and the 
development of the new user fees:
     September 9, 2011--Stakeholder Briefing: APHIS/Grant 
Thornton presented the preliminary findings from the AQI user fee 
review;
     May 1, 2013--Stakeholder Briefing: APHIS/Grant Thornton 
presented costs to deliver AQI services and factors that drive costs;
     April 22, 2014--APHIS announced proposed adjustments to 
AQI user fees;
     May 29, 2014--Stakeholder Briefing (two webinars): APHIS 
presented proposed adjustments to AQI user fees; and
     July 9, 2014--Stakeholder Briefing (webinar): APHIS 
presented proposed adjustments to AQI user fees.
    Invitations to all of the 2014 events were distributed via the 
APHIS stakeholder registry and via direct email. The last email 
invitation was sent on June 27, 2014, to 11,164 unique subscribers.
    In addition, APHIS provided the opportunity for comment on the 
proposed rule for 60 days, which was then extended another 30 days to 
allow for additional public comment.
    APHIS provided two documents, ``Fee Setting Process Documentation 
and Recommendation'' (dated October 25, 2011), and ``AQI Fee Schedule 
Assessments and Alternatives, Revised'' (dated May 21, 2012), along 
with the proposed rule to help clarify APHIS' costing methodology. Two 
commenters expressed concern that the documents were not peer reviewed 
or reviewed by the USDA's Chief Economist and that APHIS failed to seek 
public comment on either the documents or the models that form the 
basis of the change in implementation of the AQI user fee program.
    The documents provided by Grant Thornton, which were made available 
along with the proposed rule for public review and comment, were to 
advise APHIS and CBP on decisionmaking only. These were information-
gathering documents used to help inform APHIS' decisionmaking and, as 
such, were not required to be peer-reviewed. The documents led to 
detailed policy discussions that took place at the Agency and 
Department levels with both APHIS and CBP. USDA and the OMB reviewed 
the proposed rule and the RIA. Several meetings and briefings that 
included Department and OMB personnel took place on several occasions, 
and discussions included issues such as fee alternatives, methodologies 
employed by Grant Thornton, and work the contractor did to support the 
economic analysis. The final decisions were well-informed, including 
reviews that included GAO.

Overtime

    Several commenters requested that detailed information be provided 
on how much revenue overtime services generate and how CBP determines 
which officers fall into the overtime category. The commenters asked 
why Sundays have a higher overtime rate than other days.
    CBP revenue overtime services generated through the end of the 
month of July (for 2014) totaled $379,506.82 for the Agriculture 
Reimbursable Overtime and $19,525.50 for the Wood Inspection 
Reimbursable Overtime. CBP utilizes the National Treasury Employees 
Union (NTEU)/CBP collective bargaining agreement contract for employees 
in determining employee eligibility and overtime assignment. In 
general, overtime assignments are based on the lowest earner and 
availability of personnel. CBP officers are paid under the authority of 
the Customs Officer Pay Reform Act (19 U.S.C. 267, as amended). Under 
that authority, customs officers are entitled to 1.5 times the rate of 
their base pay for Sunday work if Sunday is one of their regularly 
scheduled work days. Customs officers whose regular work days are 
Sundays who work in excess of 8 hours on a Sunday are entitled to 2 
times their base pay for that

[[Page 66760]]

day's work, but are not eligible to receive Sunday premium pay 
differentials. The Sunday overtime rate is higher for APHIS officers 
than for other days of the week because our officers are paid a higher 
rate for their work time on Sundays. Because our fees were developed to 
cover the full cost of inspections, including employee salaries, the 
Sunday fees are correspondingly higher. APHIS and CBP do not factor 
reimbursable overtime fees into the costs of the AQI user fees. 
Reimbursable costs are charged separately from the user fee.
    As stated in the proposed rule, we used the ABC methodology to 
determine the cost of AQI activities and their associated outputs and 
services. One commenter expressed concern regarding a perceived lack of 
clarity regarding the alignment of the proposed fee schedule with the 
increase in overtime rates that was concurrently proposed. The 
commenter stated that, before either proposal moves forward, APHIS must 
document, for public review, the cumulative effect of these increases.
    In calculating the flat treatment fee for the proposed rule, we did 
initially factor in the overtime component to arrive at the figure of 
$375. We did not anticipate charging overtime fees in addition to that 
flat fee. Because the required RIA accompanying the proposed rule was 
based on that original proposed fee of $375, the analysis did examine 
the full economic impact of the new fee, including the overtime 
component.
    In this final rule, we are removing the overtime component from the 
flat fee, thus lowering the flat fee to $237. This fee will be phased 
in over a 5-year period. The difference between the proposed fee and 
the final $237 fee is $138. This difference represents the costs that 
are projected to be recovered through charging for reimbursable 
overtime. When treatment-related AQI services are applied outside of 
normal business hours, both the flat fee and overtime charges will 
apply. This manner of assessing these fees is consistent with the way 
we assess our other AQI user fees. APHIS can identify the amount of 
reimbursable overtime attributed to AQI treatments based upon the 
accounting attributes in the financial system. We will also continually 
review our business practices in relation to our treatment operations 
with the goal of reducing our costs and thereby reducing the fees.

APHIS/CBP Partnership

    One commenter expressed concern regarding how much AQI user fees 
would go to APHIS compared to the amount kept by CBP.
    APHIS and CBP maintain ABC models that accurately assign costs for 
activities related to each fee area. The basis for distribution of AQI 
user fees between APHIS and CBP is the cost to each agency of 
performing the AQI functions covered by a particular fee. Section 
421(f) of the Homeland Security Act of 2002 mandates that CBP and USDA 
agree on a periodic transfer of funds from the latter to the former. In 
FY 2013, CBP received $366 million from AQI user fees. APHIS collects 
fees to recover the costs of providing inspection activities for 
international arrivals of passengers, conveyances, animals, plants, and 
agricultural goods at ports of entry. AQI fees reimburse the costs of 
CBP Agriculture Specialists, CBP officers performing agriculture 
inspection services, and support costs. In FY 2013, the revenues from 
the current fee levels covered 80 percent of CBP's costs incurred 
providing inspection activities associated with the passengers and 
conveyances that are subject to fees.
    CBP will receive the collections provided by the rate adjustments 
for maintaining the existing operations of agricultural inspection 
functions. A small portion of the collections will fund treatment 
functions performed by APHIS. In addition, APHIS will maintain a small 
balance, i.e., ``reserve,'' of user fee funds to cover costs during 
collection lag periods and for unanticipated changes in volumes and 
potential bad debt costs. As stated previously, the FACT Act authorizes 
APHIS to maintain a reasonable balance in the AQI account.
    One commenter pointed out that the ``AQI Cost Analysis'' section of 
the proposed rule lists the National Targeting Center (NTC) as a CBP 
initiative, implemented since 2011, that is contributing to the 
necessity to raise user fees. However, the commenter stated that, since 
the NTC has been in existence for over 10 years, it is not a new 
initiative and asked why the costs of the NTC have led to the need to 
raise AQI fees now. The commenter stated that Table 3 of the proposed 
rule lists over $7 million in 2014 NTC costs that were factored into 
the AQI Cost Analysis and asked whether this amount represents the 
entire cost of the NTC or if it is only for some portion related to AQI 
activities.
    To expedite the processing of travelers and cargo, CBP officers 
deploy pre-departure screening through a variety of programs and 
activities. The NTC, in particular, screens relevant traveler and cargo 
information, including the examination of manifest data, prior to their 
admission into the United States. This approach is a key part of CBP's 
layered security strategy to protect the homeland by extending U.S. 
borders outward to identify and mitigate threats, interdict possible 
terrorists, criminals, and suspect cargo before they can board or be 
loaded on a conveyance destined for the United States. Through use of 
targeting, CBP decreases costs, including AQI user fee costs, by 
identifying low-risk and high-risk travelers and shipments prior to 
their presentation at a U.S. port of entry for admission.
    Since 2009, we have seen growth in both trade and travel leading to 
an increase in passenger and cargo volumes. Total passenger volume in 
FY 2013 was 6.4 percent higher than in FY 2011, and non-immigrant 
arrivals during the same period increased by nearly 9 percent. Total 
import value in FY 2013 was nearly 5 percent higher than FY 2011. Based 
on available industry and government data, we expect these trends to 
continue and estimate that total air passenger volume for FY 2015 will 
increase 4 percent (approximately 3.7 million air passengers) at the 
top 10 U.S. airports when compared to FY 2012 data. Because the 
conveyance fees cover the inspection costs of the cargo during the 
normal tour of duty of our employees, increases in cargo volumes 
necessitate increases in the conveyance fees to recover these expanded 
cargo inspection costs. Note that the costs of inspection of cargo 
occurring outside the normal tour of duty of our employees are 
recovered separately through reimbursable overtime collections, costs 
not included in the AQI fees. The $7 million listed as 2014 NTC costs 
represent that portion of NTC that relates specifically to AQI 
activities on imports.
    Two commenters stated that APHIS should address several issues 
identified during review of the AQI program, such as inconsistent data 
between APHIS and CBP. One commenter stated that it is not acceptable 
for APHIS to raise user fees without addressing its own internal issues 
and communication with CBP. A second commenter stated that, with 
additional funds generated by the user fees, APHIS should have the 
resources necessary to address these issues.
    APHIS and CBP identified the correct data to use in the model and 
eliminated the identified inconsistencies. Issues such as these in a 
very large operation are continuous in nature as the activities change, 
new systems become available, priorities change, or new demands for 
information arise. The data is relevant and it is part of official 
government systems. APHIS and CBP are

[[Page 66761]]

continually working together to enhance data collection. In addition, 
CBP will continue the implementation of the business transformation 
initiative of the International Trade Data System (ITDS). CBP will use 
ITDS to report data for the importation and disposition of arriving and 
transiting fresh fruits and vegetables cleared at ports of entry. The 
source-verifiable data provided by the trade prior to arrival will 
result in increased accuracy and simplified data entry. ITDS will allow 
for the elimination of duplicative data entry and will significantly 
reduce the overall amount of time currently spent by CBP agriculture 
specialists or CBP officers entering data. The agencies will not fund 
through AQI user fees those activities that are not associated with AQI 
services.

Cost Savings Measures

    One commenter requested that APHIS provide an analysis of the cost 
savings achieved when one agent, typically a CBP officer, provides 
inspection services for AQI, customs clearance, and immigration 
processing. The commenter stated that such a review should be 
undertaken to ensure that cost savings achieved by sharing employee 
resources are passed along to the fee-paying users in the form of fee 
reductions or exemptions.
    The ABC analysis relied on actual personnel expenses to identify 
the staffing cost for border stations of all sizes. CBP costs in 
support of the AQI mission include training and technical advice to CBP 
officers and other CBP personnel on regulatory requirements pertaining 
to compliance with agricultural regulations and the processing of 
passengers with regard to compliance with agriculture regulations, 
primarily at low volume ports of entry in the passenger environment. In 
the absence of a CBP Agriculture Specialist, CBP and APHIS have 
consistently committed to ensuring that CBP officers have been provided 
with the knowledge and information needed to identify possible pest 
risks and to make the appropriate decision to mitigate that pest risk. 
Therefore, the cost savings realized by lower staffing levels at some 
border crossings is somewhat offset by the expense of additional 
training needed by those officers.
    One commenter stated that no analysis was made to see if cost 
savings could be achieved through more efficient operations.
    We are constantly working to improve our efficiency and cut costs. 
For example, we have taken steps to reduce our personnel-related 
expenditures, thereby reducing the costs of inspection, by using lower-
salary-grade employees to perform certain tasks when doing so would not 
compromise effectiveness, and implementing shift work to reduce our 
overtime costs. The use of X-ray technology, the Internet, online 
databases, and specially trained detector dogs has helped make our 
inspection and clearance processes more efficient. Nevertheless, the 
costs of providing AQI services do rise from year to year due to 
inflation and staffing increases. The proposed user fee increases will 
enable us to recover the full costs of maintaining the AQI program. We 
welcome the submission of information at any time that would help us 
contain costs or enhance our efficiency.
    One commenter asked to see the computations that show how APHIS 
initiatives to increase efficiencies and overall effectiveness to save 
cost and time work to offset any increase in costs as a result of 
increased AQI expenditures. As an example, the commenter pointed out 
that the proposed rule states that the development of new treatment 
techniques will save time and costs, but Table 3 within the proposal 
appears to show a continued annual increase in costs. The commenter 
asked for an explanation of this apparent disparity.
    APHIS PPQ has recently realigned its core functional areas into 
three components: Policy Management, Field Operations, and Science and 
Technology. By realigning this way, we were able to eliminate many 
redundancies within different units and keep our AQI budget static 
while doing more AQI work. For example, plant inspection station 
management is handled by Field Operations. By having Field Operations 
handle management of what is essentially an operational program, we are 
better able to collect data via a risk-based sampling method, which 
will help inform future inspection rates of commodity-country 
combinations. In Policy Management, we were able to better centralize 
management structures of AQI policy, enabling us to get information to 
CBP more quickly than before our reorganization.
    As APHIS assesses its user fees, volumes, collections, and ongoing 
reserve balances, it will initiate rulemaking to increase or decrease 
the fees as necessary. We review our fees on a biennial basis to ensure 
that the fees charged are commensurate with the costs of inspection and 
inspection-related activities and, if necessary, undertake rulemaking 
to amend them. We will adjust a fee up or down, as appropriate, 
depending on the actual cost of providing services. In most cases, we 
propose user fee increases so that the fees will keep up with 
inflationary costs as well as any new expenses, and propose user fee 
decreases when efficiencies are implemented.
    One commenter stated that APHIS should develop specific accounting 
processes in order to ensure that the increased fees are properly 
collected and that such fees remain appropriate related to 
modifications in agency activity. The commenter further stated that 
specific details should be provided regarding the anticipated 
improvements in clearance and efficiency at the borders related to the 
fee increase so that overall effectiveness can be easily monitored.
    APHIS and CBP continue to invest in resources that will improve our 
customer services and ability to safeguard American agriculture. 
However, we have determined that revised user fees are necessary to 
recover the costs of the current level of activity, to account for 
increases in the cost of doing business, and to improve how fees align 
with the costs associated with each fee service. In FY 1992, APHIS 
established accounting procedures to segregate AQI user fee program 
costs from all other costs. We published a detailed description of 
these procedures in the Federal Register on December 31, 1992 (57 FR 
62469-62471, Docket No. 92-148-1), as part of an interim rule amending 
some of our user fees. APHIS maintains all AQI fees we collect in 
distinct accounts, carefully monitors the balances in these accounts, 
and only uses these funds to pay for our actual costs for providing 
these distinct services. In addition to the ABC analysis to develop the 
proposed user fee schedule, one of the objectives of the Grant Thornton 
contract was to create a method that was repeatable. We are currently 
updating the ABC model annually with cost and activity data so that we 
can monitor, measure, and model for management and decisionmaking.

Additional Comments

    Three commenters asked APHIS to make public its current and 
historic reserve levels by user class.
    The AQI reserve levels by user fee category for FY 2010 through 
2012 are provided in Tables 1, 4, 6, 7, 8, 9, and 10. Grant Thornton 
used the ABC method to develop fees and inform APHIS decisionmaking. 
Grant Thornton developed the ABC data through time-sensitive surveys to 
determine current and forecast future program costs and revenue 
recovery potential of fee schedules. Prior to Grant Thornton's

[[Page 66762]]

ABC model, APHIS did not use the fee classes to track historical 
reserve levels.
    The fees established in this final rule will align funds collected 
through user fees and the AQI reserve with the actual cost of 
safeguarding activities performed by the agencies.
    Two commenters asked for a description of how APHIS ensures that 
reserve funds collected from commercial aircraft passengers and for 
commercial aircraft inspections are spent only on inspections of 
passengers and aircraft, respectively, in subsequent years.
    As noted above, Grant Thornton developed the ABC data through time-
sensitive surveys to determine current and forecast future program 
costs and revenue recovery potential of fee schedules. This forecasting 
will ensure that reserve funds are collected and spent only on 
inspections related to the relevant class of user. APHIS did not use 
the fee classes to track historical reserve levels, and the retroactive 
application of the ABC method analysis is not a valid use of the data.
    Several commenters stated that APHIS should justify the timing of 
apparent salary increases that increase proposed fees. Specifically, 
one commenter noted that anticipated salary increases for the CBP 
journeyman officers would add $40 million to baseline costs.
    Salary increases are set by law, Department leadership, or 
collective bargaining agreements. When provided, cost of living 
increases for government employees take effect at the beginning of each 
calendar year. The timing of salary increases is in no way related to 
the proposed rates. APHIS and CBP forecast known increases based upon 
Federal Government forecast guidance issued by OMB, and by known salary 
increases that would be in place at the time that the user fee rule was 
finalized.
    Further, APHIS and CBP do not coordinate employee compensation 
levels and the agencies did not increase salaries to inflate AQI user 
fee costs. OPM issued a revised GS-1800 Inspections, Investigation, 
Enforcement and Compliance Standard for CBP officers and Border Patrol 
agents during April 2011. The new standard provides detailed 
descriptions based on the audits and interviews that the OPM position 
classifiers learned from on-site visits to field locations and 
operational and human resources staffs. CBP also conducted a rigorous 
review of the work responsibilities and expectations of frontline 
personnel that have continuously increased since CBP became the 
principal border control agency. OPM and CBP found that the officer's 
daily work is consistent with that of individuals working at the GS-12 
level. The work factors that merit the salary increase include the wide 
variety of laws that are enforced, a shift to proactive, intelligence-
driven work using sophisticated technology and infrastructure, 
increased violence at the borders and focus on terrorist activities, 
and work with other law enforcement agencies and enforcement-related 
activities.
    One commenter asked APHIS to list, by AQI user fee category, any 
costs paid by AQI user fees that are also paid through appropriations.
    No costs that are paid for by user fees are also paid for using 
APHIS appropriations, nor will they be as a result of this rule.
    On May 1, 2013, APHIS held a stakeholder meeting to discuss AQI 
program costs. Two commenters asked that APHIS describe the data 
sources underlying the 2010 AQI program study, including defining the 
following terms referred to in the stakeholder meeting: AQI program 
costs, APHIS support, cost by activity from the CBP cost model, APHIS 
workforce labor survey, and workload data for outputs and drivers 
(Operations Management Recording (OMR), Pest ID, Work Accomplishment 
Data System (WADS)). The commenters asked that the briefing document 
discussed during the meeting be included in the docket.
    AQI program costs are the costs incurred by APHIS and CBP to 
provide inspection and other services that prevent the introduction of 
harmful plant pests and animal diseases.
    APHIS support costs encompass both Agency administrative support 
and program support functions. The ABC model used by CBP has costs by 
activities tracked by expenditures. APHIS used a workforce labor survey 
to generate data comparable to the CBP ABC model. A workforce labor 
survey is a method of collecting information on the level of effort 
that an organization expends in a set of activities such that labor 
costs found in a financial system can be allocated to the activities of 
an organization. The ABC model collects costs into cost pools and uses 
workload data to drive the costs to the fee classes. Workload data for 
outputs and cost drivers are data used to establish a cause and effect 
relationship between an organization's activities and what it produces. 
The workload data enables an organization to allocate the costs of its 
activities to what it produces. The document referred to by the 
commenter was made available alongside the proposed rule and therefore 
is already included as part of the official docket. It can be viewed by 
visiting the link listed in footnote 1.
    Several commenters noted in the proposed rule that APHIS ``rounds 
up'' projected costs by user by either $1 or $25 in setting AQI fee 
levels. The commenters stated that the legal justifications for this 
rounding-up are not evident and needs to be explained fully.
    As previously mentioned, the FACT Act authorizes the Secretary of 
Agriculture to prescribe and collect fees to cover the cost of 
providing the AQI services covered in the proposed rule. This authority 
provides that the funds collected will be available until expended. GAO 
states in its Federal User Fee Design guide that ``with permanent 
authority, funds are available until expended, which enables agencies 
to carry forward unexpended collections to subsequent years and match 
fee collections to average program costs over more than 1 year.'' This 
enables agencies to carry forward unexpended collections to subsequent 
years in a reserve fund and match fee collections to average program 
costs over more than 1 year. AQI policy is to maintain a 3- to 5-month 
reserve, but when the AQI fee study was conducted, that reserve had 
been significantly diminished due to the economic downturn. As a 
result, one of the requirements of the fee study was to allow for the 
replenishment of the AQI fund reserve. To do so, we rounded the 
projected unit cost to collect additional revenue for the reserve. 
While there is no specific guidance regarding rounding up for fees, it 
is a common practice when setting fees, especially for programs that 
maintain a reserve, but also for administrative simplicity.
    In this final rule, however, we did not use the rounding method 
described above to fund the reserve. APHIS has applied a 3.5 percent 
increase above the unit cost of providing AQI services in order to fund 
the AQI reserve. The new fees, other than those for commercial 
aircraft, commercial cargo vessels, and commercial cargo railcars, 
include a 3.5 percent increase for replenishment of the reserve. For 
these three fee classes, a 3.5 percent increase would raise the new 
fees above their proposed levels. In this final rule, these three fees 
are kept at their proposed levels, and therefore will provide smaller 
shares of their revenue to the reserve replenishment.
    APHIS' analysis of methods of providing sufficient revenue to 
include a reasonable reserve identified 3.5 percent as a level that 
provides for funding the reserve while minimizing the impact on the 
payers of the fees to the greatest extent possible. APHIS further 
believes that using a flat rate of

[[Page 66763]]

3.5 percent without raising any fees above those originally proposed 
meets the needs and expectations of both the Federal Government and of 
those who pay the AQI fee.
    Several commenters asked for the number of FTEs, for both APHIS and 
CBP, committed to each class of user for FY 2010 to the present.
    The number of APHIS FTEs for FYs 2010 through 2012 can be found in 
Tables 1, 4, 6, 7, 8, 9, and 10. The numbers of APHIS FTEs dedicated to 
each class of user for FY 2013 are listed below in Table 11. The number 
of CBP FTEs dedicated to each class of user for FYs 2010 through 2013 
is listed below in Table 12. The number of CBP FTEs dedicated to sea 
passengers is not available as those user fee classes were not tracked 
prior to the proposed rule. CBP is not involved in treatment activities 
that are covered under the treatment fee. CBP does oversee disinfection 
activities for conveyances or equipment. However, disinfection activity 
costs are not included in the calculation of the treatment fee.

    Table 11--APHIS Full-Time Equivalent Employees (FTE) for FY 2013
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Commercial Aircraft........................................       289.96
Commercial Rail............................................         5.42
Commercial Truck...........................................        83.18
Commercial Vessel..........................................       181.76
Commercial Vessel Passenger................................         9.01
Treatments.................................................        79.61
------------------------------------------------------------------------


                   Table 12--CBP Full-Time Equivalent Employees (FTE) for FY 2010 Through 2013
----------------------------------------------------------------------------------------------------------------
                 User fee class                        2010            2011            2012            2013
----------------------------------------------------------------------------------------------------------------
Air Passenger...................................           1,412           1,403           1,433           1,276
Commercial Aircraft.............................             265             276             267             254
Commercial Rail.................................              21              25              23              19
Commercial Truck................................             330             314             340             301
Commercial Vessel...............................             304             314             269             284
----------------------------------------------------------------------------------------------------------------

    On September 28, 2009, we published in the Federal Register (74 FR 
49311-49315, Docket No. APHIS-2009-0048), an interim rule that amended 
the user fee regulations by adjusting the fees charged for certain AQI 
services that are provided in connection with certain commercial 
vessels, commercial trucks, commercial railroad cars, commercial 
aircraft, and international airline passengers arriving at ports in the 
customs territory of the United States. The rule was published to help 
recover the costs of inspections and related support services, in 
response to the economic downturn, as well as to maintain a reasonable 
reserve balance. On November 4, 2009, we published in the Federal 
Register (74 FR 57057, Docket No. APHIS-2009-0048) a document 
withdrawing the interim rule prior to its effective date in order to 
explore other regulatory alternatives. One commenter asked what the 
results were of that exploration, specifically whether the results were 
published and whether viable alternatives were available.
    The regulatory alternatives we considered for revising the AQI user 
fees were described in the proposed rule as well as the supporting 
analysis published along with the proposed rule entitled ``AQI Fee 
Schedule Assessment and Alternatives (May 21, 2012).'' These 
alternatives included several that were rejected because they either 
would not meet the objective of better ensuring that the fees paid by 
users in the various fee classes are commensurate with the costs of the 
AQI services provided for each class or because the transaction costs 
of creating and operating fee collection systems would be overly 
burdensome. The proposed rule represented our preferred alternative.
    Three commenters stated that APHIS and CBP must provide more timely 
invoices for all fees. The commenters stated that, when invoices are 
delayed, there is no guarantee that the local contact, such as a vessel 
agent, will be able to collect the funds from the carrier, which means 
these agents can be held liable for those costs. The commenters 
suggested that the regulations be amended to stipulate that invoices 
will be provided within 30 days of performing AQI services.
    APHIS does not provide invoices. Customers pay at the time of entry 
into the United States or when they purchase an airline ticket or 
transponder. CBP provides a CBP Form 368 Collection Receipt at the time 
of the entrance of the vessel with payment of the AQI user fee. Vessels 
are required to submit payment receipts covering the current calendar 
year at each port of call, with the cycle recommencing the next 
calendar year. We do not provide invoices for aircraft clearance or 
arriving international air passenger fee collections either. Air 
carriers remit theses collections on an honor basis in accordance with 
our current regulations.
    Several commenters asked whether APHIS can demonstrate that it is 
currently collecting all the revenues it is entitled to receive through 
the AQI program. The commenters stated that, if there are shortcomings 
in internal processes which result in lost revenues from some sources, 
other program fees should not be increased to compensate.
    As mentioned in the proposed rule, APHIS recently conducted a 
comprehensive fee review to determine the current cost of specific AQI 
services supported by user fees. That review determined that the AQI 
program was not recovering the full cost of its fee services, including 
costs of administering the user fee program and maintaining a 
reasonable reserve in the fee accounts. Some of this non-recovery is 
due to the fact that most of the current fees do not accurately reflect 
the current full cost of the services related to those fees. However, 
some of this non-recovery is also due to prior APHIS policy that capped 
fee collection for certain classes of commercial conveyances within a 
calendar year and that exempted certain classes of users from fee 
collection. The adjustments to the current AQI user fees are designed 
to recover the full cost of providing AQI services, commensurate with 
the class of persons or entities paying the fees, and are based on an 
analysis of our costs for providing services in FYs 2010 through 2012, 
as well as our best projections of what it will cost to provide these 
services in FYs 2015 through 2017. The adjustments will also allow us 
to maintain the AQI reserve account. These user fee adjustments are 
necessary to recover the costs of the current level of activity, to 
account for actual and projected increases in the cost of doing 
business, and to more accurately align fees with the costs associated 
with each fee service.
    Two commenters asked for confirmation that the reserves will be 
kept within the AQI user fee program and not used for any other APHIS 
program. One commenter asked for additional information regarding how 
AQI user fee reserves are dispersed. The commenter noted that the AQI 
reserve is

[[Page 66764]]

intended for use during periods of low import flow, but asked for 
clarification of what specifically constitutes a lower flow of imported 
products. One commenter asked if there is a way for stakeholders to 
have input on when and how the reserves are used and asked whether the 
reserves will be carried over from each fiscal year and be allowed to 
accumulate.
    By law APHIS collects AQI fees to fund the AQI program. These funds 
may not be used to supplement or pay for any program in APHIS or CBP 
that is not directly related to the AQI program. Any excess of user fee 
collections over costs remains available from year to year in a 
dedicated reserve account to be used only to fund AQI and related 
program costs. OMB actively monitors AQI reserve levels keeping in mind 
our goal of maintaining a 90- to 150-day operating reserve. OMB 
provides oversight of the AQI funds and the funded reserve. Low import 
flow occurs when the number of imports diminishes enough that we are 
unable to meet the 3- to 5-month reserve. As we have noted, we have 
sought stakeholder input throughout this rulemaking process and would 
do so again in any future rulemaking involving AQI user fees.

Economic Impacts

    Numerous commenters stated their opposition to the proposed AQI 
user fee increases on the grounds that they would create economic 
burdens on U.S. small businesses.
    The increases in AQI user fees have been methodically derived using 
activity-based costing. With the rule, AQI service recipients will pay 
fees that more closely match the costs of providing those services. We 
do not expect the AQI fee increases to create significant economic 
burdens for a substantial number of U.S. small businesses. The 
additional burden will vary by user fee class (mode of transportation) 
because the cost of providing the AQI services varies by class and each 
user fee class has its own current fee deficit (or in the case of air 
passengers and cargo railcars, fee surplus). By user fee class, the 
burden will be proportional to the extent to which an entity is engaged 
in transporting goods to the United States, that is, the cost to 
businesses that make fewer entries at ports will be proportionally less 
than the cost to businesses that make a greater number of entries. 
Small businesses within each class will not be disproportionately 
impacted. We discuss the potential impacts of the rule on small 
businesses later in this document, beneath the heading ``Executive 
Orders 12866 and 13563 and Regulatory Flexibility Act.''
    A few commenters stated that the imposition of new user fees could 
set back the maritime industry's slow recovery from the recession, 
particularly small and medium firms involved in the trade of perishable 
goods throughout southern Florida. In particular, several of these 
commenters stated that the fees we proposed could cause economic 
hardship on flower producers and the cut flower industry.
    A few commenters acknowledged that user fee increases were 
necessary, but opposed the magnitude of the increases we proposed, 
citing concerns to small businesses involved in importation and 
transportation.
    Also, several commenters stated that the fees we proposed will have 
a negative effect on trade relations between Peru and the United 
States. They stated that the proposed fees affect jobs and consumers in 
the United States as well as in Peru and specifically noted that the 
Peruvian asparagus industry is connected with American consumers 
through a large chain of importers, carriers, organizations, and 
retailers.
    In addition, the Government of Chile expressed concern that the 
compounding effect of our proposed fee increases for overtime services 
(contained in a separate proposed rule published in the Federal 
Register on April 25, 2014 (79 FR 22887-22895, Docket No. APHIS-2009-
0047)), for conveyances and for treatment will have a negative effect 
on trade between Chile and the United States. Particular concern was 
expressed about how the new treatment fee proposed in this rulemaking 
could disproportionately affect Chile's agricultural exports, because 
shipments of fresh fruits from Chile are subject to fumigation 
requirements.
    As noted above, we are lowering the treatment fee in this final 
rule from the $375 originally proposed to $237 while we attempt to 
develop additional cost-cutting measures in our treatment operations. 
APHIS will phase this fee in over a period of 5 years. This change will 
reduce the burden caused by the introduction of the treatment fee on 
affected entities, including Chilean exporters. As we have already 
noted, overtime fees will only apply to treatments conducted outside 
normal business hours. Under the FACT Act, the Secretary of Agriculture 
has the discretionary authority to prescribe and collect user fees 
sufficient to cover the cost of providing AQI services. As amended, the 
Act stipulates that the fees be commensurate with the costs of AQI 
services, with respect to the class of persons or entities paying the 
fees. With the exception of the treatment fee and cruise passenger fee, 
the fees in the proposed rule are long-established fees, and, as 
explained in the rules that established them, the fees are necessary 
for us to recover the costs of providing AQI services to the 
conveyances and passengers to which they apply. Similarly, for the 
reasons explained in the preamble to the April 2014 proposed rule and 
in this document, we have determined that the new cruise passenger and 
treatment fees are necessary to recover the costs we incur in 
connection with providing AQI services to such passengers and cargo.
    Several commenters stated that the proposed fee for AQI treatment 
services and the proposed increases in fees for cargo vessel and 
aircraft inspections will result in significant trade barriers for 
importers of perishable products such as cut flowers and fresh produce.
    We have statutory obligations under the Animal Health Protection 
Act and Plant Protection Act to prevent the introduction or 
dissemination of animal and plant pests and diseases into the United 
States. When we consider a shipment of plants or plant products to pose 
an unacceptable plant pest risk, whether because of a pest discovery at 
the port of arrival or otherwise, phytosanitary treatment can allow the 
shipment to enter the United States. If the shipment is not considered 
to pose an unacceptable plant pest risk, no treatment is required and 
no fee for AQI treatment services will be incurred. AQI services, 
including those for overseeing treatments, enable trade that would not 
be able to otherwise take place. The fee for AQI treatment services and 
the increases in user fees for truck, cargo vessel, and aircraft 
inspections have been calculated using the ABC methodology to ensure 
that the fees collected, by class, are commensurate with the costs of 
the AQI services provided.
    One commenter stated that APHIS should quantify benefits of 
inspections with results and workload projections.
    The collection and analysis of data on pest interceptions and 
workload trends are mainstays of the AQI program. CBP and APHIS use the 
data in numerous ways to inform operational and staffing decisions and 
planning. As noted elsewhere in this rule, workload projections were 
used in setting the AQI user fees. While that data is indispensable for 
those purposes, our RIA for this rule did not quantify, in an economic 
sense, the benefits associated with pest detections (as the avoided 
costs of a pest outbreak would be speculative) or workload projections.

[[Page 66765]]

    A number of commenters pointed out that, in the preamble of the 
proposed rule, we cited the impact of the 2010 economic recession on 
AQI user fees collected. The commenters stated that levels of imports 
and exports have increased significantly since 2010, and asked whether 
there was still a basis for the rule given this increase in trade. 
Similarly, another commenter stated that the proposed fee raises are 
based on dated information, and that since the time of the study, many 
inspection costs have gone down.
    The 2010 recession decreased our AQI fee reserve account. The 
account has been used to ensure the AQI program continued to fully 
operate when there were instances in which the fees we assessed did not 
provide revenue sufficient to support the AQI services rendered. The 
recession underscored the inefficiency of using the reserve to recover 
ongoing AQI-related costs in such a manner, and highlighted the need to 
charge user fees that ensure full cost recovery for those services, 
especially in times of economic downturn. It also highlighted the need 
to ensure that all user fee schedules are set using a methodology that 
will result in cost recovery for those services. The ABC method used to 
inform the fee schedules in the proposed rule is such a methodology. It 
is important to note that AQI services increase when imports increase. 
We have set our fees based upon the activity cost of the services 
delivered. Revenue generated from the fees will reflect the change in 
services delivered. In the economic short run, the reserve may be used 
to support temporary increased AQI program levels so that fees would 
not require an emergency adjustment.
    In addition, we note that an increase in trade, in and of itself, 
would not increase our user fee reserve. In fact, insofar as we would 
have to provide AQI-related services more frequently, an increase in 
trade could accelerate depletion of the reserve if fees do not recover 
the costs per service rendered.
    A commenter stated that the fee for AQI treatment services will not 
be neutral, that it will cause importers to alter shipping choices in 
order to minimize the fee cost rather than maximizing their commercial 
efficiency.
    Phytosanitary treatments and their AQI oversight are integral 
activities when it is determined that a shipment is considered to pose 
a plant pest risk. Currently, AQI treatment monitoring is provided to 
importers at no direct cost. The rule will bring that cost into the 
importer's decisionmaking process. One outcome of that process may in 
fact be importers undertaking activities, where possible, to ensure 
shipments are more likely to be free of actionable pests before arrival 
at the U.S. port of entry. We would also note that the downward 
adjustment of the treatment fee in this final rule will make the cost 
to importers lower and less burdensome.
    Some commenters stated that a phase-in period would allow affected 
entities to adjust to the new fees and prevent disruption of trade. One 
such commenter noted that the proposed fees for commercial aircraft, 
maritime vessels, and trucks with and without transponders include 
adjustments up to three times current fees, which will likely disrupt 
the movement of agricultural products because many smaller companies 
that ship agricultural products may have difficulty adjusting to such 
drastic fee increases. Many of these commenters suggested a phase-in 
period of 3 to 5 years.
    While we recognize that for several of the classes of service 
users, the percentage increase in fees are sizable, we emphasize that 
the proposed fee levels have been methodically determined through the 
ABC methodology to be the amounts needed, by class, to cover the costs 
of the services provided. The changes in fees are based on projected 
levels of AQI services required and projected resource costs of 
providing those services. APHIS will phase in the new treatment fee in 
order to reduce the impact on those firms that provide the service, and 
allow those firms receiving the treatment fee to adjust their price 
structure accordingly. A phase-in of all other proposed changes would 
delay achieving the rule's objectives: Increased user fee funding of 
AQI services; reduced reliance upon appropriated funding of AQI 
services; making AQI fees by class more commensurate with the services 
provided; and replenishment of the reserve. Moreover, this is the first 
major adjustment to AQI user fees in nearly 10 years. Other than minor 
adjustments for inflation from FY 2000-FY 2010, the fee rates have not 
changed even though the AQI program has hired several hundred 
additional inspectors and incurred other costs to meet the increasing 
need caused by a large increase in arriving international passenger and 
cargo traffic.
    Several commenters specifically opposed the proposed treatment fee 
and cited potentially negative economic impacts, including job losses, 
increased prices for U.S. consumers, and loss of trade. Several of 
these commenters stated that because importers would have to pay this 
fee to individually fumigate small batches of flowers, the fee could 
increase the total price per-box of flowers by 200 percent, and that 
the fee would have a severe economic impact on perishables imported 
through South Florida.
    The objective of fumigation and other AQI treatments is to ensure 
that agricultural goods and commodities entering the United States are 
free from viable plant pests and noxious weeds that would pose a risk 
to the health of the U.S. domestic agriculture and natural resources. 
The AQI treatment fee is designed primarily to recover the costs of 
APHIS services for monitoring fumigation and other types of treatment 
for pests to ensure it is conducted properly. As we noted in the 
proposed rule, no fees are currently collected by APHIS for these 
services. Importers have been receiving, and benefitting from, these 
services without paying a fee until now. Further, we have attempted in 
this final rule to increase the equitability of the fee by charging a 
flat fee for services rendered during normal business hours, and the 
flat fee plus an overtime charge for services rendered after normal 
business hours, thereby adjusting the fee downward from that which we 
originally proposed. APHIS will phase this new fee in over a period of 
5 years.
    A commenter suggested that rather than charging a flat fee per 
treatment, APHIS could assess user fees more equitably based on the 
number of pallets in a shipment. By charging the flat treatment fee, 
while charging considerably less for the inspection of trucks and 
railroad cars, APHIS, according to the commenter, would be making 
importers and exporters pay a disproportionate amount of APHIS' costs.
    We note that user fees based on the quantity or the value of a 
shipment do not necessarily correspond to the actual cost of providing 
the AQI service. For example, the cost of monitoring a fumigation 
treatment for a large number of pallets is about the same as the cost 
for a few pallets, since an APHIS inspector would be required to be 
present for most of the treatment and always at the beginning and the 
end of the procedure regardless of the quantity of pallets being 
treated.
    A few commenters asked whether the same cost should apply to 
verifying that a treatment occurred as the cost of actually conducting 
a treatment. The commenters cited treatment verification for Peruvian 
asparagus, which they stated involves reviewing a set of charts to 
ensure that the treatment was conducted according to the requirements. 
The commenters stated that the fee for verifying that a treatment

[[Page 66766]]

was conducted satisfactorily should not be equal to the fee for 
conducting a treatment.
    We disagree with the commenters' characterization of APHIS' 
involvement in verifying treatments of Peruvian asparagus. APHIS 
officials do not simply verify documentation to establish that a 
treatment, such as a fumigation, took place. APHIS pressure tests the 
containers, prescribes the amount of gas, and verifies the amount of 
gas that has been used. APHIS also conducts readings of gas 
concentrations at set intervals during treatment. These readings are 
used to determine whether the proper amount of gas is being used during 
treatment and to certify the treatment once it is adequately completed.
    Some commenters stated that the proposed user fee for AQI treatment 
services will lead foreign exporters to seek markets with easier access 
and thereby create potential shortages and higher prices for cut 
flowers and off-season fresh produce. Commenters also stated that many 
times when there is a pest discovered in a shipment of cut flowers, for 
example, the number of boxes requiring treatment is minimal. In such 
instances, given the proposed AQI treatment fee in addition to 
fumigation costs, importers may decide to return the shipment to the 
country of origin rather than have it treated for entry.
    We expect any diversion of trade away from the United States in 
response to the fee for AQI treatment services will be minor and not 
affect the U.S. economy significantly. Possible economic effects will 
be further diminished by the downward adjustment of the fee in this 
final rule. The size and breadth of U.S. demand for imported cut 
flowers and off-season fresh produce are large. The growth in these 
markets in recent years reflects U.S. consumers' willingness to pay for 
these commodities. The return of an infested shipment to the country of 
origin rather than its treatment will be a case-by-case decision of the 
individual importer based on costs and expected returns. In the case of 
imported cut flowers and fresh produce, we expect that the fee for AQI 
treatment services may in fact prompt increased marketing efficiencies 
if potential plant pest risks can be addressed prior to the U.S. port 
arrival. These commodities are treated at the port of entry if they are 
considered to pose a plant pest risk. If not, no treatment is required 
and the fee for AQI treatment services will not be incurred.
    Several commenters stated that the proposed user fees generally run 
counter to the cross-border initiative between Canada and the United 
States to facilitate trade. Another commenter stated that increasing 
AQI fees that directly impact cross-border North American Free Trade 
Agreement (NAFTA) trade does not support a policy for reducing 
regulatory and trade burdens. These cooperative initiatives should 
review whether fees, such as the AQI user fees, should be required 
among the three NAFTA countries covered.
    CBP and APHIS have conducted inspections and collected AQI user 
fees at the Canadian border since 2007 without any major collection-
related issues inhibiting trade at the border. In addition, several 
initiatives established between the United States and Canada focus on 
regulatory cooperation and development of a perimeter approach to 
reduce risks to North America and to facilitate cross-border trade. The 
goal of these initiatives is to establish mechanisms for ongoing 
regulatory cooperation for issues of mutual concern. The Regulatory 
Cooperation Council (RCC) was established to facilitate closer 
cooperation between our two countries to develop smarter and more 
effective approaches to regulation. The AQI cost analysis is not 
counter to the commitments the United States has made to Canada under 
the RCC initiative, and is consistent with the goals and history of 
this and other initiatives.
    Several commenters from the transportation sector opposed the 
proposed increases to AQI user fees, citing the increased cost of 
inspection and shipment of agricultural items across borders. Many of 
these commenters referred specifically to the proposed increase in the 
truck transponder fee. A few commenters stated that increasing 
transponder fees will slow down the flow of traffic at border crossings 
with Canada by reducing the number of transponders purchased, thereby 
increasing the number of cash collections at the port of entry. The 
commenters stated that this is not only time-consuming for border 
officials, but that other scarce CBP resources must also be assigned to 
completing reports on these activities and ensuring all financial 
documentation is completed.
    One commenter stated that the biggest barrier to increased use of 
transponders has been the initial one-time payment, because owners/
operators of long-haul trucks that do cross the border are often 
reluctant to purchase the transponder if they are not certain about 
their number of border crossings in a given year. The commenter stated 
that a 205 percent proposed fee increase will only create more 
difficulties in increasing transponder usage and recommended that APHIS 
should offer the transponder for sale on a payment program. Similarly, 
another commenter stated that the proposed fee increases will 
significantly extend the number of border crossings carriers will need 
to undertake to justify the use of transponders, thereby discouraging 
more carriers from using this technology.
    Another commenter also noted that the commercial transponder fee 
would increase from $105 to $320 annually, for a 200 percent increase. 
The commenter stated that such a large increase may be unaffordable for 
small carriers to pay on an annual basis. The commenter also stated 
that it may be more feasible to provide payment options and explore a 
tiered approach over a time period rather than the entire amount all at 
once. The commenter stated that similarly, the proposed per-truck fee 
increase from $5.25 to $8.50 would seem to disproportionally hit small 
truckers, who tend to operate on a more transactional basis. The 
commenter stated that, incentives to apply the per-truck fee toward 
consolidation for securing the transponder might be appropriate.
    As noted earlier, due to the change in the methodology we are using 
to calculate the reserve amounts, both the individual crossing and 
transponder fees are lower in this final rule than those we originally 
proposed. With the rule, the cost of the transponder will be equivalent 
to approximately 40 times the single-crossing fee, as opposed to the 
current 20 times the single-crossing fee. Despite its higher cost, 
purchase of a transponder will still provide cost savings for most 
cross-border trucking firms (the average number of crossings per firm 
is 97 per year) and will also reduce their paperwork and wait times. 
Because for most cross-border trucking firms the cost of the 
transponder will still be more economical than paying the single 
crossing fee for each crossing, we disagree with commenters that the 
firms are unlikely to pay the increased transponder fee, and do not 
anticipate a significant increase in the collection of single-crossing 
fees at the U.S./Canada border as a result of this rule.
    We also note a number of ancillary benefits associated with 
transponder use that should encourage continued use. Small businesses, 
as well as large ones, develop their annual business models based on 
projected levels of revenue and expenditure, for which there is always 
an element of uncertainty. Use of a transponder not only effectively 
reduces

[[Page 66767]]

the AQI fees, but importantly, reduces the time spent crossing the 
border.
    In short, we do not expect the increase in the AQI fees for 
trucking firms, with or without transponders, to significantly harm a 
substantial number of small businesses. We believe many if not most 
small businesses will continue to accrue benefits gained through the 
use of transponders. A system whereby payment for a transponder could 
be distributed over the year cannot be efficiently administered at 
present and would increase the annual cost of a transponder. Moreover, 
such a system would not reduce the level of uncertainty businesses face 
when planning for the future, including when deciding whether or not to 
purchase a transponder.
    Commenters stated that the proposed increase in the commercial 
aircraft user fee would be extraordinarily burdensome for smaller-
capacity passenger flights commonly deployed in flights from Mexico, 
Canada, and the Caribbean, and the new fee is not commensurate with the 
inspection time required for these flights.
    Aircraft with 64 or fewer passenger seats are in fact exempt from 
the AQI commercial aircraft inspection fee if they serve only beverages 
and snacks that do not contain fresh fruits; fresh vegetables; or meats 
from ruminants, swine, or poultry; and carry cargo other than fresh 
fruits, fresh vegetables, plants, unprocessed plant products, cotton or 
covers, sugarcane, or fresh or processed meats. Arriving aircraft that 
do not meet these conditions pose a sanitary or phytosanitary risk. We 
have a statutory obligation under the Animal Health Protection Act and 
the Plant Protection Act and to prevent the introduction or 
dissemination of animal and plant pests and diseases into the United 
States.
    One commenter stated that the proposal to introduce a commercial 
vessel (cruise) passenger fee of $2 could negatively impact Florida's 
tourist industry if cruise lines see advantages to taking their ships 
to less expensive foreign ports.
    The FACT Act gives APHIS authority to charge a fee for all 
international passengers. Moreover, we note that the average cost of a 
cruise ticket is substantially more than the $1.75 passenger fee. 
Further, the cruise passenger fee will be assessed on a per-ticket 
basis, as is the case for international air passengers, so that cruise 
passengers will have to pay it only once per voyage. The commercial 
vessel (cruise) passenger fee will apply only to tickets purchased on 
or after the effective date of this final rule. For these reasons, we 
do not expect that the new fee will require the cruise industry to make 
significant adjustments to port calls or other business practices.
    In addition, several commenters were concerned about the impact of 
the proposed commercial vessel (cruise) passenger AQI fee for 
international cruise ships. One commenter suggested that a 3-month time 
frame for implementing the proposed fees is insufficient for the 
maritime transport industry and suggested a minimum of 9 months for 
implementation. The commenter added that costs will be difficult to 
bear in the short-term when factored against multiple conveyances 
within a company.
    We do not agree with these commenters. As noted above, we do not 
expect that the increased fee will require the cruise industry to make 
significant adjustments to port calls or other business practices. 
Phasing in the new fee, as the commenters recommend, would not allow us 
to recover the costs we incur for screening cruise ship passengers.
    A commenter stated that the new commercial vessel (cruise) 
passenger fees could mean an overall increase from $7,440 to over 
$600,000 in fees for a single ship for 1 year. The commenter also asked 
for confirmation that the per-passenger fee would only be assessed one 
time per voyage as opposed to each U.S. port call during a voyage.
    As there is currently no AQI fee for commercial vessel (cruise) 
passengers, we are uncertain of how the commenter arrived at the 
numbers cited. Regarding the question about assessment of the passenger 
fee, it would only be assessed one time per voyage (i.e., upon arrival 
in the United States) as opposed to each U.S. port call during a 
voyage.
    A few commenters stated that the proposed treatment user fee adds 
costs that could derail the cold treatment pilot program in south 
Florida and negatively impact the economy in other regions where cold 
treatment programs are established.
    As with cold treatment completed in transit on certified vessels, 
treatment performed at U.S. facilities requires oversight and will be 
subject to the fee for AQI treatment services. Approval of cold 
treatment equipment and checking of records helps to ensure that pest 
risks are kept at an acceptable level. APHIS has been working to 
automate this process, which is expected to eventually result in lower 
costs and a corresponding reduction in the fee for AQI cold treatment 
services. In the near term, the reduction in the treatment fee in this 
final rule will lessen the burden on entities importing commodities 
that require cold treatment. Cold treatment programs that operate under 
a trust fund agreement will be exempt from paying the fee.
    Several commenters stated that the proposed fee increases are 
exorbitant and may not be representative of the service provided. The 
commenters noted that some services, such as fumigation, are performed 
almost exclusively during overtime hours, but APHIS gives the 
impression in Federal Register notices and the related documents that 
the costs for this work are not covered.
    As has been described, APHIS employed ABC methodology to ensure 
that the new AQI user fees are commensurate by class with the costs of 
providing AQI services. For some classes, such as bus passengers, 
private vehicles, and pedestrians, transaction costs of creating and 
operating fee collection systems would be overly burdensome. As we have 
already noted, in this final rule, we have removed the overtime 
component from the flat user fee, thus lowering that fee to $237, 
phased in over 5 years; however, in order to recover our costs, we will 
need to charge overtime fees as appropriate.
    A commenter stated that the treatment user fee will mean organic 
fruits and vegetables cannot be sold as organic.
    Our proposal to recover AQI service fees for treatments against 
plant pests has no direct effect on whether fruits and vegetables can 
be sold as organic. While we propose a service fee for such treatments, 
the proposal makes no changes to existing treatment requirements. 
Shipments that are free of quarantine pests, or that do not require 
irradiation, methyl bromide, or other chemical treatments are able to 
keep their organic designation.

Fairness Issues

    Many commenters expressed concerns about what they perceived as 
inequities in our proposed AQI user fee structure. Commenters 
representing, among others, pest-treatment providers, cargo and 
passenger conveyance industries, and importers and exporters, viewed 
the proposed fee increases and/or the imposition of new fees as 
unfairly burdensome to the entities on whose behalf they advocated. 
Some also suggested that the proposed fees were not commensurate with 
the actual costs of the AQI services provided. These issues are 
discussed in detail in the sections that follow.

Treatment Fee

    Some commenters stated that having to pay not only the new 
treatment fee but also overtime fees for treatments

[[Page 66768]]

conducted outside of regular business hours would place an undue 
financial burden on smaller importers and the fumigators that treat 
their cargo. In addition, some of these commenters viewed the 
requirement to pay both fees as unfair because they felt that the fees 
were duplicative to some extent, i.e., that the affected entities would 
be charged twice for the same services.
    As noted above, overtime fees will only apply when treatments are 
conducted outside normal business hours. The $237 treatment fee 
contained in this final rule only covers the costs we incur in 
providing treatment-related AQI services during normal business hours. 
This approach is more equitable in that those requesting services after 
hours are causing the government to incur a greater cost. This cost 
should not be subsidized by firms that transact business within the 
normal hours. Since APHIS charges the firm providing the fumigation 
services, there should be opportunities for the smaller importing firms 
to work with the fumigator to consolidate several fumigations so that 
the single AQI charge is divided between the firms accordingly.
    Commenters stated that the proposed flat fee of $375 per enclosure 
or treatment seemed to be disproportionately high for those treatment 
providers with small enclosures or treatments and disproportionately 
low for those with large enclosures or treatments. It was suggested 
that in the latter case, the fee collected by the fumigator from the 
importer could fall far short of the expenses incurred in providing the 
treatment. It was stated further that the main and the only direct 
treatment cost to be captured is the inspectors' time. It was suggested 
that a better way to charge the user for the actual costs APHIS and CBP 
incur would be to charge a fee as a dollar per hour of inspector time 
instead of an arbitrary fee per enclosure or treatment. This method, it 
was stated, would be more equitable, especially to small business or 
businesses bringing in small shipments.
    Contrary to the commenters' assertion, there is not a significant 
difference between the time required for the monitoring of smaller 
enclosures and that required for the monitoring of larger ones. The 
level of effort required by APHIS personnel is the same regardless of 
the amount of product that is undergoing a fumigation treatment. Our 
costs, therefore, are the same, and the fees accurately reflect those 
costs. The reduction and phasing in of the treatment fee in this final 
rule will lessen the burden on both large and small entities that are 
subject to the fee.
    A large number of commenters stated that imposing the same flat fee 
for different types of treatments was inequitable because some types of 
treatments are more labor-intensive than others and require more 
personnel and more time. It was recommended that APHIS reevaluate the 
fees. According to the commenters, such a reevaluation would likely 
result in our assessing different fees for different treatments, e.g., 
for cold treatment versus fumigation.
    APHIS uses a labor survey to determine the level of effort required 
by AQI personnel to conduct various AQI activities, including those 
associated with treatments. Thus, for example, the monitoring of cold 
treatments requires work by APHIS unseen by the payer of the fee. This 
includes the analysis of the transmitted data. This is a direct service 
delivery and should not be confused with support costs, since the cost 
is incurred for each cold treatment monitored. The data we collected 
using our ABC methodology did not reveal a significant enough 
difference in the amount of labor associated with different treatments 
to warrant a more complex fee structure.
    The April 2014 proposed rule contained a provision requiring 
treatment companies to be responsible for collecting the treatment fees 
from importers and remitting them to APHIS. Many commenters objected to 
this provision. It was stated that the requirement would impose 
substantial financial and administrative burdens on treatment 
providers, especially smaller entities. Among other things, treatment 
providers would have to hire additional administrative staff and 
establish dedicated bank accounts to prevent the remittances from being 
commingled with other company funds. It was suggested that the billing 
systems and infrastructure already exist for APHIS to bill treatment 
companies for the inspectors' time and labor. One commenter stated that 
a more equitable means of collecting the fee would be for APHIS to bill 
the shipping line or agent directly.
    We do not agree with these comments. A large number of treatment 
providers do in fact already have mechanisms in place to collect and 
remit fees. The majority of fumigators are already collecting and 
remitting fees for overtime services that are currently being incurred. 
APHIS provides the treatment oversight service directly to the party 
that provides the fumigation service. While the imported commodity is 
owned by others, the treatment responsibility lies with the fumigator, 
who is ultimately responsible for the success or failure of the 
treatment; therefore, the fumigator should remit the fees. If APHIS 
were to bill importers for the cost of AQI treatment services, the 
fumigator would still be responsible for providing APHIS with necessary 
information on the commodities being fumigated, including the identity 
of the importers and each one's percentage share of a particular 
treatment, for APHIS billing purposes.

Aircraft and Air Passenger Fees

    Commenters expressed a number of concerns regarding the equity of 
the proposed air transport and air passenger fees, with many objecting 
to the magnitude of the increase in the former.
    Some commenters recommended that APHIS create a fee schedule for 
aircraft that would distinguish between categories of users. It was 
stated that the proposed rise in the commercial aircraft inspection fee 
was not warranted for smaller aircraft and would besides be 
extraordinarily burdensome for smaller-capacity passenger flights 
commonly deployed in flights from Mexico, Canada, and the Caribbean. 
Some commenters stated that APHIS should expand its small aircraft 
exemption to include aircraft with 100 or fewer seats. Other commenters 
stated that the April 2014 proposed rule does not provide reasoned 
justification for the increase in the commercial aircraft inspection 
fee specific to small commercial jet aircraft with 20 or fewer seats. 
According to the commenters, inspecting smaller aircraft, such as 
commuter planes, imposes less of a cost burden on APHIS than does 
inspecting larger airliners. Some smaller aircraft may carry only 
passengers' luggage and not cargo and therefore impose a minimal cost 
burden on APHIS. Smaller aircraft, it was asserted, should therefore be 
charged a lower fee, commensurate with that lower cost burden, if not 
exempted from the fee altogether
    We do not agree with these commenters. As noted earlier, aircraft 
with 64 or fewer passenger seats are, in fact, exempt from the AQI 
commercial aircraft inspection fee if they are: (1) Not carrying the 
following cargo: Fresh fruits, fresh vegetables, plants, unprocessed 
plant products, cotton or covers, sugarcane, or fresh or processed 
meats; and (2) do not offer meal service other than beverages and 
prepackaged snacks that do not contain meats derived from ruminants, 
swine, or poultry or fresh fruits and fresh vegetables. Additionally, 
because they are usually short in duration, they usually offer only 
drink service and

[[Page 66769]]

light, prepackaged snacks such as peanuts. They thus would be exempt 
from paying the fee. Any arriving aircraft, regardless of size, that do 
not meet these conditions may pose a sanitary or phytosanitary risk and 
need to be inspected. We have a statutory obligation under the Animal 
Health Protection Act and the Plant Protection Act to prevent the 
introduction or dissemination of animal and plant pests and diseases 
into the United States. As noted elsewhere, the size of a particular 
means of conveyance does not necessarily correspond to the amount of 
time it takes to conduct inspections of the conveyance.
    A commenter representing a Canadian airline stated that APHIS' 
imposition of the aircraft inspection user fee on passenger aircraft 
operating U.S./Canada trans-border service violates U.S. and 
international law. According to the commenter, the fee violates the 
FACT Act by being applied without regard to the class of aircraft, 
despite the difference in cost burdens associated with the different 
classes. In relation specifically to Canada, the proposed fees were 
said by the commenter to violate Article 9 of the 2007 U.S.-Canada Open 
Skies Agreement, which requires that fees be ``just, reasonable, not 
unjustly discriminatory, and equally apportioned among categories of 
users.'' The commenter urged us to reinstate the exemption provided to 
carriers operating U.S./Canada services that existed prior to 2007, 
since there has been no evident enhancement of inspection services to 
justify the removal of that exemption.
    We do not agree with these comments. The FACT Act requires that AQI 
user fees be commensurate with the costs we incur in performing our AQI 
activities with respect to the class of persons or entities paying the 
fees. The adjusted fees are necessary for us to better ensure that we 
recover our costs of providing AQI services, and, as noted above, the 
costs we incur for inspecting commercial aircraft do not differ 
significantly due to the size of the aircraft. Further, the fees do not 
in any way discriminate against Canadian air traffic. Aircraft from any 
country arriving in the United States are subject to the same fees. We 
do not agree with the recommendation by the commenter to restore the 
user fee exemption for air carriers operating between the United States 
and Canada. When the exemption was in effect, we were not recovering 
the costs of conducting those inspections, and shortages of funding and 
personnel hampered our inspection efforts.
    Some commenters objected to our levying both commercial aircraft 
and commercial air passenger user fees. It was stated that, while the 
FACT Act permits the use of passenger fees to pay for inspections of 
the aircraft, by charging both passengers and operators inspection 
fees, we are, in effect, collecting double payments. Such double 
charging, it was stated, is not permissible under the provisions of the 
FACT Act and cannot be justified on the basis of cost data. It was 
noted that in the preamble to the April 2014 proposed rule, we stated 
that the costs of inspecting cruise ships would be covered by the 
proposed commercial vessel (cruise) passenger fee alone. One commenter 
asked the following question: If the international air passenger user 
fee must by law fully cover the AQI costs associated with inspecting 
the aircraft on which the passenger arrived, what costs, then, does an 
aircraft fee applicable to commercial passenger aircraft cover? Other 
commenters recommended that we exclude commercial passenger aircraft 
from aircraft inspection fees, since the costs of conducting such 
inspections is paid for by the passenger fees.
    We do not agree with the suggestion by the commenters that we are 
double charging or violating the FACT Act by imposing both an aircraft 
fee and an air passenger fee, since the respective fees cover different 
costs. As noted in the preamble to the April 2014 proposed rule, the 
air passenger fee covers our costs for, among other related things, 
screening passengers upon arrival for agricultural products by CBP 
Agriculture Specialists and CBP officers; inspecting baggage using CBP 
agriculture canines and specialized non-intrusive inspection equipment; 
inspecting the interior of the passenger aircraft; monitoring the 
storage and removal of regulated international garbage from the 
aircraft; safeguarding and disposing of any seized or abandoned 
prohibited agricultural products; and identifying pests found on 
prohibited agricultural products brought into the country by air 
passengers. The commercial aircraft fee covers, among other related 
things, costs we incur in reviewing manifests and documentation 
accompanying incoming cargo; targeting higher-risk cargo for inspection 
or clearance; inspecting agricultural and agricultural-related 
commodities, international mail, expedited courier packages, 
containers, wood packaging and other packing materials and determining 
entry status; inspecting the aircraft hold or exterior for 
contaminants, pests, or invasive species; identifying pests found 
during those inspections; and safeguarding shipments pending PPQ 
determination for treatment or final disposition. Based on our ABC 
analysis, we determined that the air passenger fee is not adequate to 
recover all the costs we incur in inspecting both passengers and 
aircraft, while the sea passenger fee is adequate to recover the costs 
we incur in inspecting both passengers and cruise ships.
    In the April 2014 proposed rule, we proposed to reduce the air 
passenger inspection fee from $5 to $4. One commenter objected to 
lowering that fee on the grounds that most quarantine material is 
seized from air passengers and that, therefore, the lower fee would not 
be commensurate with the labor required for inspection of such 
passengers.
    We do not agree with this comment. As we noted in the preamble to 
the April 2014 proposed rule, our ABC data indicated that, if not 
adjusted, the air passenger fee was going to generate revenues in 
excess of that required to support anticipated costs. As a result, we 
proposed a 20 percent decrease in this fee (from $5 to $4) to better 
align the fee with the cost of activities related to air passengers. We 
have since lowered this fee further, to $3.96, due to the change in our 
methodology for calculating the reserve. The commenter did not present 
data that would support the position that the adjusted fee was too low.

Commercial Truck Fees

    Some commenters stated that the proposed fee increase for 
commercial trucks, from $5.25 to $8 ($7.55 in this final rule), could 
put Canadian and Mexican products at a competitive disadvantage in 
comparison with products from other foreign countries that are subject 
to the same international trade obligations. It was claimed that the 
fees for commercial truck shipments are effectively higher than the 
fees for the other transportation modes by means of which most other 
countries ship their goods to the United States.
    We do not agree that fees for commercial truck shipments are 
effectively higher than the fees for other transportation modes. As we 
have noted, our AQI user fees are intended to recover the costs we 
incur in providing AQI services and are set on that basis. These fees 
are based on the cost of services provided, using the ABC methodology 
referred to above. Fees for various conveyances are calculated based on 
the projected number of conveyances subject to inspection

[[Page 66770]]

within each transportation mode, using standard units such as a truck 
or airplane. Inspection costs are driven by a number of factors, 
including number of conveyances, risk targeting, and other criteria, 
but costs are spread among all conveyances subject to inspection.
    Other commenters expressed the view that the proposed commercial 
truck fee was inequitable because while the majority of trucks crossing 
the bridges between the United States and Canada do not carry food or 
agricultural items, the fee would be applied to all trucks. Commenters 
stated that the universal application of the truck fees contradicts the 
premise of the ABC approach and results in an unfair application of the 
user fee to those trucks that do not use the service because they do 
not carry agricultural products.
    We do not agree with this comment. Any cargo, whether agricultural 
or non-agricultural, or conveyance could potentially carry hitchhiking 
pests, seeds, or contaminants. For example, wood packaging material, 
such as wooden pallets, which are used to ship such nonagricultural 
products as electronic items, can carry wood-boring insects, noxious 
weed seeds, gypsy moths, and other hitchhiking pests that can attach 
themselves not only to nonagricultural items but also to the vehicles 
conveying them, thus posing an additional concern. In addition, 
prohibited soil may be attached to the articles in a shipment or to the 
conveyance itself. To allow us to mitigate these risks adequately, any 
commodities and the conveyances that carry them may be subject to 
inspection. Additionally, we note that, under the scenario proposed by 
the commenters, we would still need to inspect commercial trucks in 
order to determine that they were not carrying agricultural products.
    Commenters stated that commercial conveyances operating under CBP's 
Customs-Trade Partnership Against Terrorism (C-TPAT) program pose a 
much smaller threat of importing items of concern to APHIS than do 
buses or private vehicles, which are exempt from AQI user fees. It was 
suggested that, at a minimum, therefore, APHIS, in coordination with 
CBP, should consider a reduced AQI fee for C-TPAT-certified motor 
carriers.
    The C-TPAT program seeks to prevent the disruption of international 
trade via terrorism. While C-TPAT members may be considered low-risk in 
terms of terrorism, this program does not have an agricultural 
phytosanitary component and does not eliminate the need for conducting 
agricultural inspections.
    Some commenters stated that the commercial truck fees violated 
Executive Order 13563, which requires Federal agencies to integrate 
their regulatory efforts when there are overlapping regulatory 
requirements. Charging a separate AQI fee for inspecting commercial 
vehicles when CBP is already performing and charging for those services 
is redundant and unnecessary, according to the commenters.
    We do not agree with this comment. APHIS and CBP do not have 
overlapping authorities that would result in charging for the same 
services. CBP collects Customs user fees to defray certain costs 
related to the provision of services that ensure that carriers, 
passengers, crew members and their personal effects comply with customs 
laws. CBP also collects immigration user fees to defray certain costs 
related to the provision of services that ensure compliance with 
immigration laws. APHIS charges AQI user fees for work conducted by CBP 
under APHIS' statutory and regulatory authority.

Commercial Vessel and Commercial Vessel (Cruise) Passenger Fees

    Many commenters representing the commercial vessel industry viewed 
our proposed fee increases and the proposed imposition of a commercial 
vessel (cruise) passenger fee as disproportionate, claiming that they 
unfairly targeted the maritime industry. Commenters stated that the 
fees were excessively burdensome for the industry and did not in all 
cases correspond with the cost of the AQI services provided.
    As we explained in the preamble to the April 2014 proposed rule, we 
employed the ABC methodology to determine the costs of AQI services, 
and this information, along with other factors, was used to define an 
appropriate fee structure and set fee rates. Entities that are assessed 
AQI fees are paying to cover the costs that we incur in performing the 
services that we are required to perform for those entities.
    Commenters noted that vessels that transit exclusively on the Great 
Lakes move mostly dry bulk cargos and not agricultural commodities. 
Such vessels, the commenters stated, do not pose a risk of spreading 
agricultural pests or diseases, and often, there is no boarding or AQI 
inspection of the vessels and their cargo by APHIS personnel. 
Therefore, according to the commenters, there is no basis in such cases 
for APHIS to levy AQI fees, since APHIS or CBP personnel are not 
providing AQI services. It was recommended that the fees for vessels 
transporting goods exclusively on the Great Lakes not be raised and, 
further, that such fees be collected only from vessels carrying 
agricultural commodities.
    We do not agree with this comment. As we noted above, any cargo or 
conveyance may carry hitchhiking pests, seeds, or contaminants. In 
addition, there could be risk associated with storage of regulated 
international garbage, plant pest concerns associated with the origin 
of the vessel (e.g., Asian gypsy moth or khapra beetle), a previous 
history of carrier contamination, or compliance-related wood packaging 
material concerns. Therefore, such vessels are subject to AQI 
inspection conducted by CBP officers. We would also note that the 
vessel fees cover not only the costs of the AQI inspections themselves, 
but those we incur in performing, among other things, targeting 
activities, manifest review, and general oversight.
    Prior to this rulemaking, the regulations in 7 CFR 354.3(b)(1) 
capped the number of payments of AQI fees for individual vessels at 15 
per calendar year. In order to recover the costs of administering AQI 
services to commercial maritime vessels, we proposed to eliminate that 
cap. Some commenters recommended that we reinstate that cap in the 
final rule. It was suggested that the elimination of the cap would be 
burdensome for the commercial maritime industry and extremely so for 
international flag vessels operating on the Great Lakes. Such vessels, 
commenters stated, make several port calls per single voyage into the 
Great Lakes, while other commercial vessels in the same fee class tend 
to make single voyages with often only one port call and a complete 
discharge of cargo at that port. Vessels operating on the Great Lakes 
would therefore be subject to the fees much more often per calendar 
year than those making less frequent port calls.
    We do not agree with the commenters. As we noted in the preamble to 
the April 2014 proposed rule, our ABC data indicated that by retaining 
the cap, we would not be able to recover fully the costs of providing 
AQI services to maritime vessels. Further, the tasks of collecting and 
administering user fees are less personnel-intensive, and therefore 
more cost-effective and efficient when the fees are uniform, rather 
than when there are different fee structures for conveyances or 
geographic locations that fall within the same general categories. It 
is true, as the commenters pointed out, that because vessels that make 
several port calls per voyage into the Great Lakes would be subject to 
the applicable AQI fees at

[[Page 66771]]

each port of call, they would be charged more per year than vessels 
making less frequent port calls. Vessels in the former category, 
however, would also be making more frequent use of AQI services; 
therefore, the cost of providing those services to such vessels would 
be higher for APHIS and CBP.
    A commenter stated that the proposed new treatment fee was unfair 
to the commercial maritime industry because customers of the industry 
would be heavily impacted while those in other sectors would not. 
According to the commenter, bus passengers, privately owned vehicle 
passengers, and pedestrians, all of whom are exempted from the fees, 
require more of APHIS' resources than do customers shipping or 
receiving cargo via private maritime vessels. The commenter stated that 
imposing a new fee structure on a use activity that is currently paying 
its share through hourly charges, while charging no fees for multiple 
use activities that are collectively responsible for $223 million in 
costs to APHIS, goes against the directives of the FACT Act in regard 
to cross-subsidizing AQI services.
    As we noted in the preamble to the April 2014 proposed rule, we are 
retaining the previously established exemptions for bus passengers, 
privately owned vehicle passengers, and pedestrians because the 
collection of such fees would not be cost-effective for APHIS and CBP 
and could cause backups at ports of entry that could affect 
international trade. Regarding the cross-subsidization issue, the 
proposed rule was reviewed for consistency in adhering to the FACT Act. 
Additionally, GAO has reviewed APHIS' work in AQI fee setting. Based on 
the findings of those reviews, and our own internal review and 
assessment, we confirmed that there is no cross-subsidization of AQI 
programs through user fees occurring.
    A commenter expressed the view that the proposed maritime vessel 
fee increase was unfair to carriers operating in the short-sea-shipping 
dry bulk markets. Such carriers do not own the cargo they carry, and 
compensation for its carriage is not directly dependent on the value of 
the commodity delivered. The carriers operate with very small profit 
margins to ensure competitiveness, and the proposed fee increase would 
have an inordinate impact on them. It was claimed that the methodology 
we used in setting the proposed fees led us to underestimate the impact 
of the fee increase on such entities. Further, it was stated that the 
fee increase is not justified where the vessels are not shipping 
agricultural products and there is no risk of spreading pests or 
diseases.
    In accordance with the FACT Act, which states that the Secretary 
may prescribe and collect fees sufficient to cover the cost of 
providing AQI services, and policy of the Executive Branch of the 
Federal Government, we set our fees at levels that enable us to recover 
the costs of providing AQI services for each person or entity receiving 
those services. Regarding the assertion that the increased fees are not 
justified when vessels are not carrying agricultural products, as noted 
above, any cargo or conveyance may harbor hitchhiking pests or 
contaminants.
    A commenter stated that the proposed $2 commercial vessel (cruise) 
passenger fee is a one-size-fits-all mechanism that contradicts APHIS' 
stated principle of reducing risk by targeting inspections. According 
to the commenter, by applying the fee uniformly to all passengers, 
APHIS recognizes neither the principle of risk analysis and reduction 
nor the extensive differences among cruise operations in general and 
between individual cruise ship operations that are careful to mitigate 
the risk of pest or contaminant transmission and those that are not.
    We do recognize that risk levels differ among pathways, and the 
nature of our AQI activities for all commercial vessels, including 
cruise vessels reflect those differences. To that end, we do employ and 
will continue to employ targeting of commercial cruise vessels that we 
consider to pose a higher-than-average pest risk.
    However, the pest risk associated with a particular vessel or class 
of vessels is not static and can change significantly over time. For 
example, a port of call visited by the vessel may be higher risk for 
pest introductions during certain months of the year than others. For 
this reason, it would be untenable for us to attempt to establish and 
administer a fee system for cruise passengers that was based on levels 
of risk when we know those levels of risk will fluctuate.

Additional Comments on Fairness Issues

    Some commenters stated that the proposed fee adjustments and new 
fees would disproportionately punish importers with smaller volumes. 
Others expressed the view that importers and exporters were already 
paying a disproportionate share of APHIS' costs and should not be 
subject to additional burdens.
    In collecting the fees, APHIS is recovering the costs incurred from 
both APHIS' and CBP's AQI-related activities. Entities paying the fees 
are those that use the AQI services that the two agencies provide. The 
ABC methodology that we employ in calculating our costs and setting our 
fees associates the cost we incur with the level of staff effort 
applied. APHIS and CBP staff have to be present at the ports and 
conduct AQI activities regardless of the size and volume of the cargo 
or conveyance requiring inspection. Importers and exporters pay only 
those costs that they incur by using APHIS services.
    A commenter stated that the proposed rule favored break bulk 
shipments over container and air shipments, subjecting the latter two 
to disproportionate charges because of lot sizes. The commenter further 
stated that the disparity in charges relative to shipment size would be 
crippling to smaller companies and those that ship by container. It was 
suggested that the final rule be revised to prorate the cost of the 
inspections across all exporters in a way that affects each exporter 
uniformly and offsets the real costs to perform the necessary 
inspections, perhaps on a per pound basis. The commenter stated that 
such revisions were necessary to ensure that each exporter and importer 
is treated the same, regardless of the size of the shipment.
    As noted above, the methodology used to determine the costs of our 
AQI activities is based upon the time required of APHIS and CBP staff 
to perform those activities. Those activities must be performed 
regardless of the size or volume of the shipment or whether or not it 
is in a container.
    Some commenters representing various sectors of the transport 
industry expressed the view that rather than charging user fees to 
carriers, APHIS should charge shippers or receivers only for 
agricultural cargo that requires inspection or certification.
    As we have noted above, the cost of inspecting and clearing the 
carrier itself is considered an AQI activity. Such inspection and 
clearance are needed even when a conveyance may not be carrying 
agricultural products because of the possible presence of hitchhiking 
pests and contaminants.
    In contrast to some of the commenters referred to above, who 
favored exemptions for certain classes of conveyances, other commenters 
objected to our allowing any such exemptions. It was stated that AQI 
user fees should be applied equally to all modes of transportation 
inspected, without complete waivers for select classes.
    As we noted above, this rulemaking leaves intact previously 
established exemptions from user fees for certain

[[Page 66772]]

categories of conveyances and individuals, including some relatively 
small commercial aircraft that are not carrying certain regulated 
cargo, bus passengers, privately owned vehicle passengers, and 
pedestrians. We determined that collecting user fees for these 
categories of conveyances and passengers would not be cost-effective 
for APHIS and CBP. As stated previously, any cost not recovered through 
a fee is paid through appropriated funding. When the Federal Government 
cannot fully recover the costs of providing a service, the excess costs 
are ultimately borne by U.S. taxpayers rather than by the direct 
beneficiaries of that service. The rationale for collecting user fees 
is to have those who benefit from a service cover its costs rather than 
have the general public cover them.
    One commenter representing the seed industry stated that industry 
would prefer to have a system whereby seed cleaning and treatment 
facilities in the private sector are accredited by APHIS to perform 
those services without the need for direct supervision or oversight 
from APHIS or the State designee(s). It was stated that most seed 
shipments are much smaller and more manageable than bulk commodities 
and therefore should be treated differently in regard to fees and 
inspections.
    This is comment is outside the scope of the present rulemaking. 
APHIS will consider the comment, however, as it continues to explore 
alternate ways to safeguard American agriculture while facilitating 
international trade.
    Commenters suggested that some of the costs of the AQI program 
should be borne by the general public rather than the users of the AQI 
services. It was claimed that because, in addition to AQI services, a 
significant part of the CBP mission is security, the public benefits 
from services provided at ports of entry. The commenter further stated 
that APHIS and CBP need to determine how much of their inspection 
activity is directed toward the public good and how much toward 
providing services for industry. It was recommended that once that 
determination was made, the agencies should re-evaluate their proposed 
fees and adjust them accordingly. Services that benefit the general 
public, according to the commenter, should be funded by Congressional 
appropriations or means other than charging user fees to industry.
    We do not agree with the comments. While U.S. producers and 
consumers are indirect beneficiaries of AQI treatment services, 
importers and operators of the means of conveyance used to import a 
commodity benefit directly by being able to engage in their respective 
businesses. AQI user fees charged to commercial trucks, rail, aircraft, 
and cargo vessels cover the costs of ensuring that sanitary and 
phytosanitary risks posed by the means of conveyance and the 
commodities they carry are at an acceptable level. Industry 
organization and market structure largely determine how the fees or 
some portions thereof may be passed forwards or backwards. Lastly, we 
note that the general public does directly pay in part for AQI services 
from which they benefit indirectly to the degree that appropriated 
funds are used to support those services not covered by the fees.

Miscellaneous Comments

    One commenter stated that the fees were based on the assumption 
that AQI-related services would be rendered by personnel at the general 
schedule (GS) grade 10, step 1 level. The commenter stated that AQI 
services provided by APHIS and CBP tend to be rendered by personnel at 
the GS grade 11 or 12 levels, and that APHIS may have therefore 
underestimated the direct cost of services rendered when computing the 
fees that we proposed.
    We agree with the commenter that AQI services are often rendered by 
personnel at higher GS levels than grade 10, step 1. However, in order 
to compute the fees, we took into consideration the actual GS grade 
level of the personnel currently performing the services. We also took 
into consideration the possibility that personnel rendering the 
services will be promoted to a higher GS grade level before the fee 
schedule is revised.
    Several commenters stated that any changes to user fees assessed 
for overtime services provided at ports of arrival would have 
significant negative effects on the economy, including job loss and 
increased prices for agricultural products. Several other commenters 
suggested we include revisions to the overtime user fee schedules in 
this final rule.
    We did not propose to adjust the overtime services fees in this 
proposed rule. However, in a proposed rule published in the Federal 
Register on April 25, 2014 \3\ (79 FR 22887-22895, Docket No. APHIS-
2009-0047), we proposed to revise those schedules.
---------------------------------------------------------------------------

    \3\ To view the proposed rule, its supporting documents, or the 
comments that we received, go to http://www.regulations.gov/#!docketDetail;D=APHIS-2009-0047.
---------------------------------------------------------------------------

    One commenter suggested that we eliminate overtime fees entirely 
and consider those overtime costs in setting AQI user fee schedules.
    If we were to eliminate overtime fees, importers who operate during 
normal business hours would substantially subsidize importers who use 
these overtime services. We do not consider that to be equitable.
    Several commenters suggested that, in lieu of user fees, APHIS 
should request Congressional appropriations for the AQI services we 
provide. Other commenters pointed out that APHIS has discretionary 
authority under the FACT Act to charge AQI user fees, but that the Act 
does not mandate that we do so.
    We believe the intent of the FACT Act was for APHIS to charge user 
fees, commensurate with the costs of services, for certain AQI-related 
services that were, up to that point, funded through Congressional 
appropriations. The amendments to the Act clarified that this was to 
ensure that APHIS recovers the actual costs associated with AQI-related 
services that we provide; annual appropriations do not guarantee such 
cost recovery. Making the services contingent on Congressional 
appropriations once more would be inconsistent with what we understand 
to be the intent of the FACT Act, and could result in instances in 
which we do not recover the costs for services rendered. This could, in 
turn, result in us decreasing the nature or scope of AQI-related 
services we provide.
    One commenter asked that we develop a concrete plan and methodology 
for setting user fee levels and evaluating their appropriateness.
    As documented in the proposed rule and its supporting documents, we 
have developed such a methodology: The ABC accounting methodology.
    One commenter pointed out that we proposed a number of new user 
fees in the proposed rule. The commenter assumed that this meant that 
we were also proposing new AQI-related services and initiatives, and 
proposing a user fee for these new services and initiatives in order to 
recover costs. The commenter questioned the appropriateness of a 
proposed rule as a vehicle for expanding the scope of Agency actions in 
such a manner.
    We did not propose to conduct any new AQI-related services. Rather, 
we proposed to charge an AQI user fee for services that to that point 
had been provided without a fee. Proposing a new fee schedule through 
rulemaking is authorized by Sec.  136a(a)(1) of the FACT Act, and is 
consistent with our obligation under the Administrative Procedure Act 
to conduct rulemaking for any requirements of general applicability and 
future effect.
    One commenter, an importer, stated that his products are always 
infested

[[Page 66773]]

with plant pests, and thus subject to treatment at the port of arrival. 
He requested that, if he can demonstrate pest freedom for his products 
at least once, we waive the treatment user fee, contingent on the 
continual pest-freedom of the products.
    The treatment referenced by the commenter is for commodities 
determined to be infested with a plant pest. If, in the future, the 
commenter's shipments are determined to be free of plant pests, they 
will not be treated, and he will not incur the user fee.
    Several commenters recommended that we consider certifying third 
parties to provide AQI-related services.
    In recent years, we contemplated initiating rulemaking to establish 
such an accreditation system for inspection and clearance services of 
imported commodities. However, we identified several issues that 
precluded us from issuing such a rule. First, there could in certain 
instances be a significant financial incentive for the third party to 
clear products for entry, even if they are infested or present a known 
plant pest risk. Under this scenario, those under accreditation could 
realize a financial benefit by clearing products that do not meet U.S. 
phytosanitary requirements. Second, in order for this not to occur, 
APHIS would need to exercise ongoing oversight of the third party's 
services. This would, in turn, minimize the benefits of such third 
party accreditation. That being said, consistent with OMB Circular A-
76, we continue to explore ways to use third parties in order to 
provide AQI-related services.\4\
---------------------------------------------------------------------------

    \4\ To view the circular, go to http://www.whitehouse.gov/omb/Circulars_a076_a76_incl_tech_correction.
---------------------------------------------------------------------------

    One commenter stated that, if the rule were finalized, APHIS should 
coordinate with CBP in order to ensure that they receive cost recovery 
for the AQI services they render.
    APHIS agrees with the commenter. We have worked closely with CBP to 
ensure that costs are recovered for AQI services and will continue to 
do so.
    One commenter stated that, because fumigators currently charge 
importers for their services, the proposed treatment fee was redundant 
and should not be finalized.
    We disagree that the fee is redundant. Fumigators charge for the 
fumigant used and their services in applying the treatment. The 
treatment fee that we proposed was for our oversight of the treatment 
to ensure that it was applied accurately and the treated commodities do 
not present a plant pest risk. The fumigation fee is charged to the 
fumigator, since APHIS is providing oversight of the process to ensure 
efficacy. It is a business decision of the fumigator to pass this cost 
on to its customers.
    Several commenters stated that, instead of revising the fee 
schedules to ensure full cost recovery for AQI services that we 
provide, APHIS and CBP should explore cost-cutting measures for those 
services.
    APHIS and CBP are committed to the Federal Cost Cutting Campaign 
and the principles of Executive Order 13589, ``Promoting Efficient 
Spending.'' To that end, we continually evaluate our AQI program in 
order to reduce costs and identify more efficient means to deliver our 
services. For example, APHIS is establishing a new Analysis and 
Information Management Program. The goal of this program will be to 
coordinate analyses that will inform program delivery in the areas of 
AQI targeting, domestic surveys, and phytosanitary and trade 
management. APHIS has also committed resources to expand the Agency's 
involvement with CBP's Commercial Targeting and Analysis Center (CTAC), 
a facility designed to streamline and enhance Federal efforts to 
address import safety issues. The CTAC combines the resources and 
manpower of CBP and other government agencies to protect the American 
public from harm caused by unsafe imported products by improving 
communication and information-sharing and reducing redundant inspection 
activities.
    The fee schedule increases that we proposed do not supplant these 
efforts. However, under Federal policy, when we charge AQI user fees, 
we do so in a manner to recover the cost of the services rendered. The 
fee schedules that we proposed would move us closer to such full cost 
recovery.
    If, at a future time, our ongoing efforts to promote efficiencies 
and reduce costs in our AQI program result in significant cost savings, 
we will revise the fee schedules accordingly.
    One commenter stated that GAO had instructed us to reduce the fee 
reserve, and we should implement this recommendation.
    The commenter is mistaken. Reduction of the fee reserve was not 
among GAO's recommendations.
    Several commenters stated that the rule contradicted the policies 
set forth in Executive Order 13659, ``Streamlining the Export/Import 
Process for America's Businesses.''
    That Executive Order directs Federal agencies to develop and 
implement the International Trade Data System (ITDS). ITDS would 
provide a single portal for businesses to enter data in order to comply 
with the regulatory and policy requirements of multiple Federal 
agencies regarding imports and exports. The Order also instructs 
agencies to ``improve the broader trade development of innovative 
policies and operational processes that promote effective application 
of regulatory controls, collaborative arrangements with stakeholders, 
and a reduction of unnecessary procedural requirements.''
    APHIS is committed to expeditious deployment of ITDS. Additionally, 
as noted above, we are engaged in several initiatives to identify more 
efficient means of delivering AQI services. However, we disagree with 
the commenters that the proposed rule contradicts the policies set 
forth in the Order. Nothing in the Order explicitly or implicitly 
prohibits agencies from charging user fees for import or export-related 
services. Additionally, Section 8 of the Order specifically states that 
it does not affect the authority granted by law to an agency. As noted 
above, discretionary authority has been granted to APHIS under the FACT 
Act to charge user fees for AQI-related services, and to set fees at a 
level that leads to full cost recovery for those services.
    The same commenters stated that full deployment of ITDS would 
eliminate the need for user fees.
    We disagree. While full deployment of ITDS will facilitate certain 
AQI-related services and could, over time, reduce costs, certain of the 
services for which we charge fees, such as inspection of regulated 
articles and means of conveyance and oversight of treatments, cannot be 
fully automated and must be performed by authorized personnel.
    One commenter stated that the rule appeared to target the 
commercial aircraft industry. The commenter stated that the industry is 
subject to frequent ``holds'' in which inspectors detain and inspect 
commodities destined for inland hubs, and questioned the manner in 
which APHIS or CBP determines to select a commodity for inspection. As 
evidence, the commenter cited an audit in which an express consignment 
carrier was subject to 1,879 inspections during a 1-week period in 
2013, with only 12 shipments being determined to be infested with plant 
pests. The commenter stated that this indicates inefficiencies in the 
manner in which APHIS and CBP conduct AQI-related inspections, and that 
a thorough reevaluation of our criteria for selecting a commodity for 
inspection could reduce Agency costs and reduce or eliminate the need 
to increase AQI user

[[Page 66774]]

fees for the commercial aircraft industry.
    The number of times that the express consignment carrier was 
subject to inspection and the relatively low number of pest detections 
is not necessarily indicative of inefficiencies in our inspection 
processes. The commenter is using CBP enforcement metrics to determine 
efficiencies, that is, seizures resulting in shipments being removed 
from the shipping continuum. However, these metrics are not appropriate 
for assessing the effectiveness of AQI inspections. Furthermore, AQI 
strategies allow for shipments to be reconditioned, e.g., by means of 
fumigation and cleaning to mitigate risk of infestation and 
contamination. Such strategies ensure that most shipments are allowed 
to continue to the consignee. Both APHIS and CBP employ risk-based 
modeling to determine which shipments to target for inspection. Factors 
that may lead to an inspection include: The nature of the commodity; 
the region from which it is imported; the compliance history of the 
importer; and incomplete, vague, erroneous, or illegible information on 
accompanying documentation. That being said, we are evaluating the 
manner in which we conduct inspections of shipments destined to ECCFs 
in order to determine whether we can make our processes simpler and 
more efficient, and have engaged the Express Association of America in 
this evaluation.
    One commenter stated that we should have reduced the airline 
passenger fee via an interim rule, rather than a proposed rule.
    We did not do so because we believe that it is important for 
affected parties to be afforded an opportunity to comment on 
significant proposed revisions to user fee schedules before they are 
finalized, even if these revisions would reduce burden on affected 
entities.
    Some commenters stated that an argument could be made that the 
imposition of the APHIS fees may contravene Article 310 of the North 
American Free Trade Agreement (NAFTA), which prohibits the adoption of 
any customs user fees, and Article VIII:1(a) of the General Agreement 
on Tariffs and Trade 1994 (the GATT), which says that all fees and 
charges shall not represent an indirect protection to domestic products 
or a taxation of imports or exports for fiscal purposes. Another 
commenter stated that APHIS fees may also contravene Article 3.12 of 
the United States-Chile Free Trade Agreement (FTA), which requires 
that, in accordance with Article VIII:1 of the GATT, all fees and 
charges shall not represent an indirect protection to domestic products 
or a taxation of imports or exports for fiscal purposes.
    We disagree with the commenters' assertion that the AQI user fees 
contravene NAFTA, the GATT, or the United States-Chile FTA. Article 310 
of NAFTA states that ``No Party may adopt any customs user fee of the 
type referred to in Annex 310.1 for originating goods,'' and Annex 
310.1 refers to a specific fee--the merchandise processing fee--that 
has since been eliminated for goods of Canada and Mexico. Thus, Article 
310 of NAFTA does not speak to, let alone preclude, APHIS' AQI user 
fees.
    Similarly, Article VIII:1(a) of the GATT states, in its entirety, 
that ``All fees and charges of whatever character (other than import 
and export duties and other than taxes within the purview of Article 
III) imposed by contracting parties on or in connection with 
importation or exportation shall be limited in amount to the 
approximate cost of services rendered and shall not represent an 
indirect protection to domestic products or a taxation of imports or 
exports for fiscal purposes.'' Article 3.12(a) of the United States-
Chile FTA uses language directly from Article VIII:1(a) of the GATT. 
Because the AQI user fees are charged in connection with services 
rendered by CBP and APHIS personnel and reflect the approximate costs 
to the agencies of providing those services, they are entirely 
permissible under Article VIII:1(a) of the GATT and Article 3.12(a) of 
the United States-Chile FTA.
    Several commenters stated that APHIS should make more use of risk 
assessments in conducting AQI-related services.
    We agree with the commenters that risk assessments are valuable 
tools that can enhance targeting, effectiveness, and efficiency when 
conducting AQI-related activities. APHIS routinely analyzes pest risk 
posed by numerous potential pest pathways to the United States to 
update and increase the effectiveness of its inspection targeting and 
quarantine action policies. For example, APHIS recently worked with 
South American and New Zealand cut flower exporters to characterize the 
risk of immature, unidentifiable life stages of Tetranychus mites which 
are often intercepted on certain flowers. APHIS analyzed results from 
comprehensive surveys of export growing areas and determined that the 
common two-spotted spider mite was the only Tetranychus mite likely to 
be found on those flowers. As a result of that risk analysis, APHIS 
ceased requiring fumigation on import shipments of those specific 
flowers from the surveyed areas when unidentifiable Tetranychus life 
stages are intercepted.
    The same commenters stated that we should consider implementing 
``trusted trader'' practices into our AQI-related services. They stated 
that this could allow us to devote personnel and resources to those 
shipments most likely to present a plant pest risk.
    Many exporters broker products from numerous growers. Even very 
large exporters who grow their export product may periodically augment 
shipments with auxiliary growers' material to make expected volumes on 
deadline. These exporters cannot control conditions in various growers' 
fields that may raise or lower pest risk associated with the export 
crop (e.g. if pesticides were applied properly, weeds are controlled, 
or crops are rotated to reduce pest and disease occurrence). This means 
that an exporter's currently low risk commodity could pose a 
considerably higher pest risk next month. And, consequently, exporters 
cannot ensure that all pests are adequately excluded from their 
shipments.
    Therefore, for the reasons given in the proposed rule and in this 
document, we are adopting the proposed rule as a final rule, with the 
changes discussed in this document.

Executive Orders 12866 and 13563 and Regulatory Flexibility Act

    This final rule has been determined to be economically significant 
for the purposes of Executive Order 12866 and, therefore, has been 
reviewed by the Office of Management and Budget.
    We have prepared an economic analysis for this rule. The economic 
analysis provides a cost-benefit analysis, as required by Executive 
Orders 12866 and 13563, which direct agencies to assess all costs and 
benefits of available regulatory alternatives and, if regulation is 
necessary, to select regulatory approaches that maximize net benefits 
(including potential economic, environmental, public health and safety 
effects, and equity). Executive Order 13563 emphasizes the importance 
of quantifying both costs and benefits, of reducing costs, of 
harmonizing rules, and of promoting flexibility. The economic analysis 
also provides a final regulatory flexibility analysis that examines the 
potential economic effects of this rule on small entities, as required 
by the Regulatory Flexibility Act. The economic analysis is summarized 
below. Copies of the full analysis are available on the Regulations.gov 
Web site (see footnote 1 in this document for

[[Page 66775]]

a link to Regulations.gov) or by contacting the person listed under FOR 
FURTHER INFORMATION CONTACT.
    APHIS was given authority by the FACT Act, as amended, to prescribe 
and collect cost-based fees for providing AQI services for inbound 
passengers, conveyances, and cargo at U.S. ports of entry. AQI 
activities include inspection of incoming conveyances, passengers, and 
cargo; pest identification; monitoring and, at times, conducting of 
treatments; and administering the program's finances, scientific 
research, and policy development. In addition to such activities, the 
FACT Act, as amended, allows for the maintenance of a reasonable 
balance (reserve) in the AQI user fee account.
    APHIS is amending the user fee regulations by adding new fee 
categories and adjusting current fees charged for certain AQI services. 
We are also altering or removing certain fee caps. We have determined 
that revised user fee categories and revised user fees are necessary to 
recover the costs of the current level of activity, to account for 
actual and projected increases in the cost of doing business, and to 
more accurately align fees with the costs associated with each fee 
service.
    AQI fees are mandated to be cost-based and paid by the users of the 
AQI services. In the RIA, benefits and costs of the changes to the AQI 
user fee schedule are evaluated in accordance with Executive Orders 
12866 and 13563. Expected effects for small entities are evaluated as 
required by the Regulatory Flexibility Act.
    AQI services protect U.S. agricultural and natural resources from 
the inadvertent introduction of foreign pests and diseases that may 
enter the country and the threat of intentional introduction of pests 
or pathogens. The changes in user fees will more closely align, by 
class, the cost of AQI services provided and user fee revenue received. 
The new fee schedule will better reflect the costs of AQI services 
provided to commercial cargo vessels, commercial trucks, commercial 
cargo railcars, commercial aircraft, and international air passengers 
arriving at U.S. ports; newly include fees for additional classes of 
recipients of AQI services; remove user fee caps for commercial cargo 
vessels and commercial cargo railcars; and increase the fee cap for 
commercial trucks. Fee caps refer to limits on the number of times a 
fee must be paid for a specific truck (with transponder), cargo vessel, 
or cargo railcar in a calendar year. The current and new AQI user fee 
rates are shown in Table 13.

              Table 13--Current and New AQI User Fee Rates
                                [Dollars]
------------------------------------------------------------------------
             User fee class                   Current           New
------------------------------------------------------------------------
Air passenger...........................           $5.00           $3.96
Commercial aircraft.....................           70.75          225.00
Commercial cargo vessel.................          496.00          825.00
Commercial truck........................            5.25            7.55
Commercial truck with transponder (one            105.00          301.67
 annual payment)........................
Commercial cargo railcar................            7.75            2.00
Commercial vessel (cruise) passenger....          no fee            1.75
Treatment \1\...........................          no fee          237.00
------------------------------------------------------------------------
\1\ The fee for AQI treatment services will be phased in over 5 years:
  First year, $47, second year, $95, third year, $142, fourth year,
  $190, and fifth year, $237.

    APHIS used the ABC methodology to determine the rate adjustments 
for classes that currently pay user fees and the rates for newly 
charged classes. The two classes that will be newly charged user fees 
under the rule are commercial vessel (cruise) passengers and recipients 
of AQI treatment services. Currently, the cost of AQI services received 
by these entities is borne by other user fee classes and/or taxpayers 
through appropriated funding. Elimination of the user fee caps for 
commercial cargo railcars and commercial cargo vessels will more 
closely align the user fee revenue received with the cost of providing 
AQI services for these conveyances and rail and vessel cargo. We retain 
the cap for commercial trucks with transponders because of the 
increased efficiency gained through the use of transponders at border 
inspections. The cap for commercial trucks will be increased, however, 
and these businesses will pay in fees a larger share of the cost of the 
AQI services they receive.
    Changes under the new user fee schedule to AQI revenue and the AQI 
reserve and modeled economic effects of the rule are illustrated for 3 
years, FYs 2015-2017.\5\ Under the new fee structure, it is estimated 
that AQI user fee revenue for FY 2015 would have been about $701.4 
million, as compared to about $593.1 million under the current fee 
schedule, an increase of $108.3 million (Table 14). Given the effective 
date of the final rule, USDA will not collect revenues in FY 2015 under 
the new fee schedule, but this comparison is included to show the 
difference in the most recent year. If USDA collected revenues in FY 
2015 under the new fee schedule, reliance on appropriated funds to 
finance certain AQI services in FY 2015 would have been reduced by 
$31.7 million, assuming that the cost of AQI services, $957.6 million, 
would be the same with or without adoption of the new fee schedule 
since the level of AQI services provided would not change. An estimated 
AQI program deficit of $54.2 million under the current fee schedule 
would not be incurred.
---------------------------------------------------------------------------

    \5\ The 3-year period, FYs 2015-2017, is used to show the likely 
magnitude of the changes to AQI user fee and appropriated funding 
revenues.
---------------------------------------------------------------------------

    The reserve fund ensures that AQI program operations can continue 
without interruption when service volumes fluctuate due to economic 
conditions or other circumstances, and APHIS and CBP can adjust their 
activities to account for the changed economic conditions. As there are 
fixed costs related to providing AQI services that the program incurs, 
a reasonable reserve is needed to ensure continuity of service.

[[Page 66776]]



 Table 14--Illustrative Example of AQI User Fee Revenue, Appropriated AQI Funding Under the Current and New User
                        Fee Schedules, and Cost of AQI Services, FY 2015, Million Dollars
----------------------------------------------------------------------------------------------------------------
                                                                    Current fee       New fee
                                                                     schedule        schedule         Change
----------------------------------------------------------------------------------------------------------------
AQI revenue:
    User fees...................................................          $593.1          $701.4          $108.3
    Appropriated funding........................................           310.3           278.6           -31.7
AQI total revenue...............................................           903.4           980.1            76.7
AQI costs.......................................................           957.6           957.6             0.0
AQI revenue minus costs.........................................           -54.2            22.5            76.7
----------------------------------------------------------------------------------------------------------------
Note: The AQI user fee revenue and costs shown exclude overtime charges incurred in conjunction with AQI
  treatment services that are paid for separately. The AQI user fee revenue and costs shown for the current fee
  schedule are reduced from what were reported in the preliminary RIA for the proposed rule by $6.2 million, the
  estimated reimbursable overtime costs of AQI treatment services in FY 2015. Given the effective date of the
  final rule, USDA will not collect revenues in FY 2015 under the new fee schedule, but this comparison is
  included to show the difference in the most recent year.

    Respectively for FYs 2016 and 2017, in comparison to current fee 
schedule projections, AQI user fee revenue is expected to be larger by 
$113.3 million and $118.6 million, and appropriated funding of AQI 
services is expected to be smaller by $68.3 million and $65.3 million. 
Net revenue of $27.9 million in FY 2016 and $53.9 million in FY 2017 is 
expected to be available to maintain the AQI reserve fund.\6\ Estimated 
AQI revenue and costs summed over the 3 years are shown in Table 15.
---------------------------------------------------------------------------

    \6\ All values in this RIA are nominal, that is, they include 
projected inflation.

Table 15--Estimated AQI User Fee Revenue, Appropriated AQI Funding Under the Current and New User Fee Schedules,
                              and Cost of AQI Services, FY 2015-17, Million Dollars
----------------------------------------------------------------------------------------------------------------
                                                                    Current fee       New fee
                                                                     schedule        schedule         Change
----------------------------------------------------------------------------------------------------------------
AQI revenue:
    User fees...................................................        $1,842.3        $2,182.5          $340.2
    Appropriated funding........................................         1,039.7           874.4          -165.3
AQI total revenue...............................................         2,881.9         3,057.1           175.2
AQI costs.......................................................         2,952.8         2,952.8             0.0
AQI revenue minus costs.........................................           -70.9           104.3           175.2
----------------------------------------------------------------------------------------------------------------
Note: The AQI user fee revenue and costs shown exclude overtime charges incurred in conjunction with AQI
  treatment services that are paid for separately. USDA will not collect revenues in FY 2015 under the new fee
  schedule.

    We considered a number of alternatives for revising the AQI user 
fees. Some of the alternatives, such as increasing all current fees by 
the same percentage, were rejected because they clearly would not meet 
the objective of better ensuring that the fees paid by users in the 
various fee classes are commensurate with the costs of the AQI services 
provided for each class. Other alternatives were rejected because the 
transaction costs of creating and operating fee collection systems for 
certain classes, such as bus passengers, private vehicles, and 
pedestrians, would be overly burdensome.
    We then focused on three remaining alternatives composed of 
different combinations of paying classes. The first or preferred 
alternative is the rule, with user fee classes as shown in Table 13. 
The second alternative differs from the first by not including user 
fees for recipients of AQI treatment services. Under the third 
alternative, recipients of commodity import permits and pest import 
permits would pay user fees, in addition to the classes that will pay 
fees under the rule.
    Under all three alternatives, commercial vessel (cruise) passengers 
pay a user fee for services they receive that are currently funded by 
other AQI service recipients and/or through appropriated funding. In 
addition, the preferred alternative newly includes payment of fees by 
users of AQI treatment services. Under alternative 2, there would be no 
fee for AQI treatment services and the cost of providing these services 
would continue to be covered by user fees paid by other classes. For 
this reason, alternative 2 was rejected because AQI costs and revenues 
would be less commensurate by class than under the preferred 
alternative.
    Alternative 3 would include user fees for recipients of commodity 
import permits and pest import permits, classes not charged fees under 
the preferred alternative. In these instances, APHIS found that there 
are overriding concerns. Charging a user fee for commodity import 
permits would be difficult to administer, at this time as our system is 
not designed to allow for this. Pest import permits are normally 
requested for research purposes. Charging a fee for pest import 
permits, which ABC analysis indicates would need to be set at more than 
$2,000, could have the unintended consequence of discouraging research 
that directly benefits U.S. agriculture. For these reasons, APHIS 
decided against the selection of alternative 3.
    In Table 16, we compare the cumulative estimated revenue changes 
over the 3 years for the alternatives. Differences among the 
alternatives in user fee and appropriated funding revenue are 
attributable to variations in the user fee rates. In all cases, the 
baseline for comparison is continuation of the current AQI user fee 
schedule. AQI services performed and the total cost of providing those 
services are the same under each alternative. All three alternatives 
ensure that the costs of providing AQI services are covered and the 
reserve fund is maintained.

[[Page 66777]]



   Table 16--Changes in Estimated AQI User Fee Revenue, Appropriated AQI Funding, and Net Revenue Under the 3
                   Alternative User Fee Schedules, Summed Over FYs 2015-2017, Million Dollars
----------------------------------------------------------------------------------------------------------------
                                                                  Preferred
                                                                 alternative     Alternative 2    Alternative 3
                                                                    (rule)
----------------------------------------------------------------------------------------------------------------
AQI revenue                                                                   --Million dollars--
                                                              --------------------------------------------------
    User fees................................................           $340.2           $208.1           $175.0
    Appropriated funding.....................................           -165.3            -84.9           -152.4
AQI total revenue............................................            175.2            123.2             22.7
AQI costs....................................................              0.0              0.0              0.0
AQI revenue minus costs......................................            175.2            123.2             22.7
----------------------------------------------------------------------------------------------------------------
Note: Columns may not sum due to rounding.

    Economic effects under each of the three alternatives derive from 
the increase or reduction in costs borne by affected importers and 
international passengers because of the changes in AQI user fees and 
concurrent reduced reliance on appropriated funding of AQI services. 
Impacts depend on the magnitude of the changes, and for importers, on 
the ability of suppliers to pass along or absorb the costs, and for 
inbound international passengers, on the ability of airlines and 
vessels to do likewise. In theory, higher user fees increase the cost 
of imports and the supplier may have incentive to send fewer goods to 
the United States or international passengers may have less incentive 
to travel to the United States. Lower user fees, in theory, create the 
opposite incentives.
    The changes in user fees are very small in comparison to the 
overall value of the commodities imported or the price of an 
international ticket, and therefore are expected to have negligible 
impact on imports or on the number of international passengers. 
Estimated changes in user fee revenue relative to the output of the 
affected sectors represent, in total, a decline of about two-hundredths 
of one percent, and range from a decline of about six-thousandths of 
one percent in the trucking industry to a decline of about one-tenth of 
one percent in the airline industry.\7\ We cannot determine what will 
be the effect of the projected reductions in appropriated funding of 
AQI services, but observe that the reductions may counterbalance the 
negligible impacts of the user fee increases to some extent.
---------------------------------------------------------------------------

    \7\ Short-run impacts of the proposed fee changes are estimated 
to represent the following percentage changes from current output, 
by affected industry: Trucking industry, -0.006 percent; rail 
industry, 0.035 percent; vessel cargo industry, -0.005 percent; 
cruise ship industry, 0.003 percent; and air cargo and passenger 
industry, -0.102 percent.
---------------------------------------------------------------------------

    Illustrative output and employment impacts for FY 2015 under the 
three alternatives, shown in Table 17, were modeled for APHIS by a 
contracted consultancy.\8\ The impacts shown can be considered 
estimated upper-bound effects because the AQI fees for air passengers, 
commercial trucks (with and without transponders), commercial vessel 
(cruise) passengers, and treatment services are lower than those that 
were set forth in the proposed rule and used to model the output and 
employment effects. In addition, the AQI treatment fee will be phased 
in over 5 years.
---------------------------------------------------------------------------

    \8\ ABS Consulting, ABS Group Consulting, Inc., ABS Plaza, 16855 
Northchase Drive, Houston, TX 77060. Appendix A of the RIA explains 
the methodology and data sources used by ABS Consulting in modeling 
expected economic effects of the rule and alternatives. Appendix B 
reports updated modeling results prepared by ABS Consulting in July 
2013 that are used in the RIA.
---------------------------------------------------------------------------

    The model results indicate that U.S. output and employment would 
have declined under all three alternatives, with the smallest declines 
occurring under the preferred alternative. Modeled output and 
employment effects for FYs 2015-2017 are shown in the body of the RIA. 
We expect the economic effects of the user fee revisions for several of 
the classes, if they occur at all, to be extremely small.

  Table 17--Modeled Illustrative Short-Run Effects for U.S. Output and
         Employment of the 3 AQI User Fee Alternatives, FY 2015
------------------------------------------------------------------------
                                   Change in output        Change in
                                   (million dollars)  employment  (jobs)
------------------------------------------------------------------------
Preferred alternative (rule)....               -$113              -1,312
Alternative 2...................                -119              -1,337
Alternative 3...................                -127              -1,419
------------------------------------------------------------------------

    The fee increases themselves and the newly charged fees for 
commercial vessel passengers and treatment services are not costs to 
the economy as a whole, but rather transfer payments. Transfer payments 
are monetary payments from one group to another that do not affect 
total resources available to society.
    The increase in user fee funding of AQI services, reduced reliance 
on appropriated funding, and closer alignment, by class, of user fee 
revenues and costs will be the principal outcomes of the rule. For the 
3 years, FYs 2015-2017, user fee funding of AQI services under the rule 
is estimated to be $340.2 million more and appropriated funding of AQI 
services is estimated to be $165.3 million less than would occur with 
continuation of the current fee schedule.
    Increased reliance on user fee funding means that APHIS will more 
fully prescribe and collect cost-based fees for providing AQI services, 
including maintaining a reasonable reserve, as provided for under the 
statute. It also means that a portion of appropriated funds that would 
be used to pay for AQI services under the existing user fee schedule 
will no longer be needed for that purpose, resulting in a reduced 
demand for directly appropriately funding or the availability of 
additional funds for other Federal uses. In the latter case, we are 
unable to determine

[[Page 66778]]

how those appropriated funds that will no longer be needed to pay for 
AQI services under the rule may otherwise be used. We are, however, 
fully confident in our application of the ABC methodology in deriving 
the new AQI user fees; this methodology has enabled us to better ensure 
the fees are commensurate with the costs of the AQI services provided, 
as provided in the FACT Act.
    Firms most likely to be impacted by this rule are transportation 
businesses within the truck, rail, sea, and air cargo sectors that 
import goods into the United States and providers of treatment 
services. While the Small Business Administration has set small-entity 
standards for the transportation sectors, the size data do not 
distinguish between transportation firms that operate internationally 
and those firms that only operate within the United States. Most 
businesses that will be affected by the rule are likely to be small. We 
respond in the RIA and final regulatory flexibility analysis to 
comments received from small-entity stakeholders and other businesses 
on possible effects of the rule on their operations.

Executive Order 13175

    This rule has been reviewed in accordance with the requirements of 
Executive Order 13175, ``Consultation and Coordination with Indian 
Tribal governments.'' Executive Order 13175 requires Federal agencies 
to consult and coordinate with tribes on a government-to-government 
basis on policies that have Tribal implications, including regulations, 
legislative comments or proposed legislation, and other policy 
statements or actions that have substantial direct effects on one or 
more Indian Tribes, on the relationship between the Federal Government 
and Indian Tribes or on the distribution of power and responsibilities 
between the Federal Government and Indian Tribes. APHIS has assessed 
the impact of this rule on Indian Tribes and determined that this rule 
does not, to our knowledge, have Tribal implications that require 
Tribal consultation under EO 13175. If a Tribe requests consultation, 
APHIS will work with the Office of Tribal Relations to ensure 
meaningful consultation is provided where changes, additions, and 
modifications identified herein are not expressly mandated by Congress.

Executive Order 12988

    This final rule has been reviewed under Executive Order 12988, 
Civil Justice Reform. This rule: (1) Preempts all State and local laws 
and regulations that are inconsistent with this rule; (2) has no 
retroactive effect; and (3) does not require administrative proceedings 
before parties may file suit in court challenging this rule.

Paperwork Reduction Act

    This final rule contains no new information collection or 
recordkeeping requirements under the Paperwork Reduction Act of 1995 
(44 U.S.C. 3501 et seq.).

List of Subjects in 7 CFR Part 354

    Animal diseases, Exports, Government employees, Imports, Plant 
diseases and pests, Quarantine, Reporting and recordkeeping 
requirements, Travel and transportation expenses.

    Accordingly, we are amending 7 CFR part 354 as follows:

PART 354--OVERTIME SERVICES RELATING TO IMPORTS AND EXPORTS; AND 
USER FEES

0
1. The authority citation for part 354 continues to read as follows:

    Authority: 7 U.S.C. 7701-7772, 7781-7786, and 8301-8317; 21 
U.S.C. 136 and 136a; 49 U.S.C. 80503; 7 CFR 2.22, 2.80, and 371.3.


0
2. Section 354.3 is amended as follows:
0
a. In paragraph (b)(1), by removing the words ``, not to exceed 15 
payments in a calendar year (i.e., no additional fee will be charged 
for a 16th or subsequent arrival in a calendar year),''.
0
b. By revising the tables in paragraphs (b)(1) and (c)(1).
0
c. In paragraph (c)(3)(i) introductory text, by removing the words ``20 
times'' and adding the words ``40 times'' in their place.
0
d. By revising the tables in paragraphs (d)(1) and (e)(1).
0
e. By revising paragraph (f)(1), including the table.
0
f. By adding paragraph (f)(2)(i).
0
g. By revising paragraph (f)(8).
0
h. By adding paragraph (h).
    The revisions and addition read as follows:


Sec.  354.3  User fees for certain international services.

* * * * *
    (b) * * * (1) * * *

------------------------------------------------------------------------
                        Effective date                           Amount
------------------------------------------------------------------------
Beginning December 28, 2015..................................      $825
------------------------------------------------------------------------

* * * * *
    (c) * * * (1) * * *

------------------------------------------------------------------------
                        Effective date                           Amount
------------------------------------------------------------------------
Beginning December 28, 2015..................................     $7.55
------------------------------------------------------------------------

* * * * *
    (d) * * * (1) * * *

------------------------------------------------------------------------
                        Effective date                           Amount
------------------------------------------------------------------------
Beginning December 28, 2015..................................        $2
------------------------------------------------------------------------

* * * * *
    (e) * * * (1) * * *

------------------------------------------------------------------------
                        Effective date                           Amount
------------------------------------------------------------------------
Beginning December 28, 2015..................................      $225
------------------------------------------------------------------------

* * * * *
    (f) Fee for inspection of international passengers. (1) Except as 
specified in paragraph (f)(2) of this section, each passenger aboard a 
commercial aircraft or cruise ship who is subject to inspection under 
part 330 of this chapter or 9 CFR, chapter I, subchapter D, upon 
arrival from a place outside of the customs territory of the United 
States, must pay an AQI user fee. The AQI user fee will apply to 
tickets purchased beginning December 28, 2015. The fees are shown in 
the following table:

------------------------------------------------------------------------
         Effective dates \1\                Passenger type       Amount
------------------------------------------------------------------------
Beginning December 28, 2015..........  Commercial aircraft....     $3.96
Beginning December 28, 2015..........  Cruise ship............      1.75
------------------------------------------------------------------------
\1\ Persons who issue international airline and cruise line tickets or
  travel documents are responsible for collecting the AQI international
  airline passenger user fee and the international cruise ship passenger
  user fee from ticket purchasers. Issuers must collect the fee
  applicable at the time tickets are sold. In the event that ticket
  sellers do not collect the AQI user fee when tickets are sold, the air
  carrier or cruise line must collect the user fee that is applicable at
  the time of departure from the passenger upon departure.

    (2) * * *
    (i) Crew members onboard for purposes related to the operation of 
the vessel;
* * * * *
    (8) Limitation on charges. Airlines and cruise lines will not be 
charged reimbursable overtime for passenger inspection services 
required for any aircraft or cruise ship on which a passenger arrived 
who has paid the international passenger AQI user fee for that flight 
or cruise.
* * * * *
    (h) Fee for conducting and monitoring treatments. (1) Each importer 
of a consignment of articles that require treatment upon arrival from a 
place outside of the customs territory of the United States, either as 
a preassigned condition of entry or as a remedial

[[Page 66779]]

measure ordered following the inspection of the consignment, must pay 
an AQI user fee. The AQI user fee is charged on a per-treatment basis, 
i.e., if two or more consignments are treated together, only a single 
fee will be charged, and if a single consignment is split or must be 
retreated, a fee will be charged for each separate treatment conducted. 
The AQI user fee for each treatment is shown in the following table:

------------------------------------------------------------------------
                        Effective dates                          Amount
------------------------------------------------------------------------
Beginning December 28, 2015...................................       $47
Beginning December 28, 2016...................................        95
Beginning December 28, 2017...................................       142
Beginning December 28, 2018...................................       190
Beginning December 28, 2019...................................       237
------------------------------------------------------------------------

    (2) Treatment provider. (i) Private entities that provide AQI 
treatment services to importers are responsible for collecting the AQI 
treatment user fee from the importer for whom the service is provided. 
Treatment providers must collect the AQI treatment fee applicable at 
the time the treatment is applied.
    (ii) When AQI treatment services are provided by APHIS, APHIS will 
collect the AQI treatment fee applicable at the time the treatment is 
applied from the person receiving the services. Remittances must be 
made by check or money order, payable in United States dollars, through 
a United States bank, to ``The Animal and Plant Health Inspection 
Service.''
    (3) Collection of fees. (i) In cases where APHIS is not providing 
the AQI treatment and collecting the associated fee, AQI user fees 
collected from importers pursuant to this paragraph shall be held in 
trust for the United States by the person collecting such fees, by any 
person holding such fees, or by the person who is ultimately 
responsible for remittance of such fees to APHIS. AQI user fees 
collected from importers shall be accounted for separately and shall be 
regarded as trust funds held by the person possessing such fees as 
agents, for the beneficial interest of the United States. All such user 
fees held by any person shall be property in which the person holds 
only a possessory interest and not an equitable interest. As 
compensation for collecting, handling, and remitting the AQI treatment 
user fees, the person holding such user fees shall be entitled to any 
interest or other investment return earned on the user fees between the 
time of collection and the time the user fees are due to be remitted to 
APHIS under this section. Nothing in this section shall affect APHIS' 
right to collect interest from the person holding such user fees for 
late remittance.
    (4) Remittance and statement procedures. (i) The treatment provider 
that collects the AQI treatment user fee must remit the fee to USDA, 
APHIS, AQI, PO Box 979044, St. Louis, MO 63197-9000.
    (ii) AQI treatment user fees must be remitted to [address to be 
added in final rule] for receipt no later than 31 days after the close 
of the calendar quarter in which the AQI user fees were collected. Late 
payments will be subject to interest, penalty, and handling charges as 
provided in the Debt Collection Act of 1982, as amended by the Debt 
Collection Improvement Act of 1996 (31 U.S.C. 3717).
    (iii) The remitter must mail with the remittance a written 
statement to USDA, APHIS, AQI, PO Box 979044, St. Louis, MO 63197-9000. 
The statement must include the following information:
    (A) Name and address of the person remitting payment;
    (B) Taxpayer identification number of the person remitting payment;
    (C) Calendar quarter covered by the payment; and
    (D) Amount collected and remitted.
    (iv) Remittances must be made by check or money order, payable in 
United States dollars, through a United States bank, to ``The Animal 
and Plant Health Inspection Service.''
* * * * *

    Done in Washington, DC, this 21st day of October 2015.
Gary Woodward,
Deputy Under Secretary for Marketing and Regulatory Programs.
[FR Doc. 2015-27363 Filed 10-28-15; 8:45 am]
BILLING CODE 3410-34-P



                                                                                                        Vol. 80                           Thursday,
                                                                                                        No. 209                           October 29, 2015




                                                                                                        Part IV


                                                                                                        Department of Agriculture
                                                                                                        Animal and Plant Health Inspection Service
                                                                                                        7 CFR Part 354
                                                                                                        User Fees for Agricultural Quarantine and Inspection Services; Final Rule
asabaliauskas on DSK5VPTVN1PROD with RULES




                                             VerDate Sep<11>2014   20:05 Oct 28, 2015   Jkt 238001   PO 00000   Frm 00001   Fmt 4717   Sfmt 4717   E:\FR\FM\29OCR4.SGM   29OCR4


                                                  66748            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  DEPARTMENT OF AGRICULTURE                               According to the FACT Act, these user                 introduction of animal diseases and
                                                                                                          fees should recover the costs of:                     plant pests. Direct animal agriculture
                                                  Animal and Plant Health Inspection                         • Providing the AQI services for the               hazards include, but are not limited to,
                                                  Service                                                 conveyances and the passengers listed                 foot and mouth disease, avian influenza,
                                                                                                          above;                                                and classical swine fever. Plant pests
                                                  7 CFR Part 354                                             • Providing preclearance or                        include foreign noxious weeds such as
                                                                                                          preinspection at a site outside the                   hogweed and insects such as long-
                                                  [Docket No. APHIS–2013–0021]                            customs territory of the United States to             horned beetles related to the Asian long-
                                                  RIN 0579–AD77                                           international passengers, commercial                  horned beetle that has caused millions
                                                                                                          vessels, commercial trucks, commercial                of dollars in losses in numerous
                                                  User Fees for Agricultural Quarantine                   railroad cars, and commercial aircraft;               communities in the United States. Fruit
                                                  and Inspection Services                                    • Administering the user fee program;              flies, such as the Mediterranean fruit fly,
                                                                                                          and                                                   if introduced, would cause significant
                                                  AGENCY:  Animal and Plant Health                           • Maintaining a reasonable balance,                direct damage to U.S. fruit crops and
                                                  Inspection Service, USDA.                               also referred to by APHIS as a ‘‘reserve,’’           have major impacts on export markets.
                                                  ACTION: Final rule.                                     to ensure that funding is available in the            Diseases such as powdery mildews on
                                                                                                          event that there are temporary                        corn and its relatives, wheat blast on
                                                  SUMMARY:   We are amending the user fee                 reductions in the demand for AQI                      wheat and its related grains, and exotic
                                                  regulations by adding new fee categories                services leading to reduced fee                       rice diseases could cause major impacts
                                                  and adjusting current fees charged for                  collections, as was experienced in 2008               on staple food supplies and create trade
                                                  certain agricultural quarantine and                     (Pub. L. 101–624, Section 2509). As                   barriers. The fees that pay for the AQI
                                                  inspection services that are provided in                there are fixed costs related to providing            program help protect our country from
                                                  connection with certain commercial                      AQI services (i.e., costs that do not                 these threats at a very small cost in
                                                  vessels, commercial trucks, commercial                  fluctuate with demand for AQI services)               relation to the economic harm that
                                                  railroad cars, commercial aircraft, and                 that the program incurs, a reasonable                 would be caused by any new
                                                  international passengers arriving at                    balance/reserve is needed to ensure                   introduction of pests and diseases.
                                                  ports in the customs territory of the                   continuity of service in times of reduced                Under the FACT Act, the Secretary of
                                                  United States. We are also adjusting or                 fee collection. This provides certainty to            Agriculture has the authority to
                                                  removing the fee caps associated with                   importers regarding the availability of               prescribe and collect user fees sufficient
                                                  commercial trucks, commercial vessels,                  inspection services. Specifically, the Act            to cover the cost of providing AQI
                                                  and commercial railcars. We have                        states, ‘‘The Secretary shall adjust the              services. By U.S. law, APHIS is
                                                  determined that revised user fee                        amount of the fees to be assessed under               designated as the Agency with the
                                                  categories and revised user fees are                    this subsection to reflect the cost to the            authority to establish and collect fees
                                                  necessary to recover the costs of the                   Secretary in administering such                       related to work undertaken in the AQI
                                                  current level of activity, to account for               subsection, in carrying out the activities            program. Other Federal agencies
                                                  actual increases in the cost of doing                   at ports in customs territory of the                  undertake activities that support the
                                                  business, and to more accurately align                  United States and preclearance and                    AQI program mission. APHIS followed
                                                  fees with the costs associated with each                preinspection sites outside the customs               Federal guidance, including the Office
                                                  fee service.                                            territory of the United States in                     of Management and Budget (OMB)
                                                  DATES: Effective December 28, 2015.                     connection with the provision of                      Circular A–25 and Federal Accounting
                                                  FOR FURTHER INFORMATION CONTACT: Ms.                    agricultural quarantine inspection                    Standards Advisory Board Statement of
                                                  Diane L. Schuble, AQI User Fee                          services, and in maintaining a                        Accounting Standards Number 4, to
                                                  Coordinator, Office of the Executive                    reasonable balance in the Account.’’ The              appropriately account for these costs in
                                                  Director-Policy Management, PPQ,                        level of the reserve is determined by the             order to determine the appropriate fees.
                                                  APHIS, 4700 River Road, Unit 131,                       Secretary.                                            Those costs not recovered through the
                                                  Riverdale, MD 20737 1231; (301) 851–                       In addition, the FACT Act, as                      AQI fees are paid for through
                                                  2338; Email: AQI.User.Fees@                             amended contains the following                        appropriated funding. The use of
                                                  aphis.usda.gov.                                         requirements:                                         activity based costing (ABC)
                                                                                                             • The fees should be commensurate                  methodology in establishing fees
                                                  SUPPLEMENTARY INFORMATION:                              with the costs with respect to the class              ensures that no cost is double counted.
                                                  Background                                              of persons or entities paying the fees.               AQI program costs incurred by APHIS
                                                                                                          This is intended to avoid cross-                      include:
                                                    Section 2509(a) of the Food,                          subsidization of AQI services.                           • Program costs directly attributable
                                                  Agriculture, Conservation, and Trade                       • The cost of AQI services with                    to the delivery of AQI services;
                                                  (FACT) Act of 1990 (21 U.S.C. 136a)                     respect to passengers as a class should                  • Program delivery-related costs
                                                  authorizes the Animal and Plant Health                  include the cost of related inspections of            (known as distributable costs) at the
                                                  Inspection Service (APHIS) to collect                   the aircraft or other conveyance.                     State level and below, at the regional
                                                  user fees for certain agricultural                         APHIS’ regulations regarding                       and headquarters levels, the APHIS
                                                  quarantine and inspection (AQI)                         overtime services and user fees relating              Agency level, and the U.S. Department
                                                  services. The FACT Act was amended                      to imports and exports are found in 7                 of Agriculture (USDA) Departmental
                                                  on April 4, 1996, and May 13, 2002.                     CFR part 354. The user fees for the AQI               level. These costs are necessary to
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                                                    The FACT Act, as amended,                             activities described above are contained              support the direct delivery of AQI
                                                  authorizes APHIS to collect user fees for               in § 354.3, ‘‘User fees for certain                   services; and
                                                  AQI services provided in connection                     international services.’’                                • Depreciation of various equipment
                                                  with the arrival, at a port in the customs                 The AQI program is a Federal                       and facilities that directly support, in
                                                  territory of the United States, of                      program that is designed to identify and              whole or in part, APHIS’ delivery of
                                                  commercial vessels, commercial trucks,                  address threats to U.S. agriculture and               AQI services and other imputed costs
                                                  commercial railroad cars, commercial                    to facilitate safe agricultural trade, such           that other Federal agencies incur in
                                                  aircraft, and international passengers.                 as the accidental or intentional                      providing services to APHIS and the


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                        66749

                                                  AQI program. Imputed costs are the                      incentive for trucking firms to use a                 and/or allocation of the proposed user
                                                  costs of goods or services incurred on                  transponder. The difference between the               fee adjustments and new user fees.
                                                  behalf of an agency that are paid by                    cost of providing inspections for trucks              Commenters sought more
                                                  another Federal entity, such as certain                 with transponders and the revenue                     documentation and detailed information
                                                  retirement benefits paid to retirees by                 collected from trucks with transponders               on how we calculated AQI costs and
                                                  the Office of Personnel Management.                     will be covered by appropriations. This               fees. A more detailed explanation of our
                                                    The AQI fees have not been adjusted                   ensures that there will be no cross-                  ABC methodology was requested by
                                                  since FY 2010 and do not reflect the                    subsidization of AQI services.                        some commenters. Commenters also
                                                  current cost of providing AQI services.                    There are other AQI program costs for              requested more specific information on,
                                                  As a result, U.S. Customs and Border                    which APHIS did not propose to                        among other topics, how our costs
                                                  Protection (CBP) of the Department of                   establish user fees in the April 2014                 correlated with the AQI services
                                                  Homeland Security, which collaborates                   document and never has done so. The                   performed, how we determined our
                                                  with APHIS in providing the AQI                         costs of providing these AQI services are             support costs, and our justification for
                                                  services referred to above, has relied                  paid for through the CBP appropriation.               including those costs in our calculation
                                                  more heavily on its appropriated funds                  These AQI services are:                               of our fees. These issues are discussed
                                                  to provide AQI services that are not paid               • Private vehicle inspections at border               individually in the paragraphs that
                                                  for by AQI revenue or to cover the cost                    crossings,                                         follow.
                                                  of services for which the current fee                   • Pedestrian inspections at border                       One commenter asked that we
                                                  revenue is insufficient. The FACT Act                      crossings,                                         provide all final reports, presentations,
                                                  provides that USDA may prescribe and                    • Bus inspections,                                    or other decisional material from each of
                                                  collect fees that are sufficient to cover               • Private vessel inspections,                         the fiscal years (FY) 2010 to the present
                                                  the cost of providing AQI services, and                 • Private aircraft inspections,                       regarding AQI inspection costs and
                                                                                                          • Military inspections, and                           revenue prepared by APHIS, by
                                                  Federal guidance for fee setting states
                                                                                                          • Rail passenger inspections.                         contractor Grant Thornton, or by any
                                                  that, where possible, a user fee should
                                                  recover the full cost to the government.                   APHIS follows Federal guidance in                  other contractor or other internal or
                                                    On April 25, 2014, we published in                    determining the appropriateness of                    external party.
                                                  the Federal Register (79 FR 22895–                      charging AQI user fees, specifically the                 AQI User Fee analysis reports used to
                                                  22908, Docket No. APHIS–2013–0021) a                    guidance from OMB’s Circular A–25.                    calculate the new user fees, stakeholder
                                                  proposal 1 to amend the regulations by                  Factors influencing our decisions not to              outreach documents, and the proposed
                                                  adjusting existing fees and adding some                 charge user fees for the above-listed                 rule are available for public review on
                                                  new ones in order to enable us to                       services include lack of authority (e.g. to           the APHIS Web site at: http://
                                                  recover the costs of providing AQI                      collect fees for bus-passenger                        www.aphis.usda.gov/plant-health/aqi-
                                                  services and to allow us to maintain the                inspections); conflict with other Federal             userfee-review. The fee analysis reports
                                                  AQI reserve account. Specifically, we                   regulations (e.g. such as those that affect           were also made available on
                                                  proposed to:                                            private aircraft); and the potential for              Regulations.gov along with the
                                                    • Adjust the fees charged for the                     the costs of collecting fees for services             proposed rule as part of the rule’s
                                                  following conveyances or persons to                     to exceed the revenues generated by the               supporting documents and will remain
                                                  whom AQI services are provided:                         fees (e.g. such as inspecting private                 posted there when this final rule is
                                                  Commercial vessels, commercial trucks,                  vessels and pedestrians); and the costs               published.
                                                                                                          of putting in place the infrastructure                   Commenters stated that, because the
                                                  commercial railroad cars, commercial
                                                                                                          required to collect fees.                             cost data provided by APHIS did not
                                                  aircraft, and international air
                                                                                                             We base the fees on cost data from                 provide specifics regarding the
                                                  passengers. (Because commercial truck
                                                                                                          FYs 2010, 2011, and 2012, and use                     calculation of the individual user class
                                                  inspections have separate fees for trucks
                                                                                                          inflationary factors to project our costs             fees, the validity of the cost calculations
                                                  with and without decals (transponders),
                                                                                                          through FY 2017.                                      overall is questionable. The commenter
                                                  we actually proposed to adjust a total of
                                                                                                             We solicited comments concerning                   stated further that the lack of
                                                  six current fees.)
                                                                                                          our proposal for 60 days ending June 24,              transparency unfairly inhibits industry’s
                                                    • Add a new fee to be charged for
                                                                                                          2014. We reopened and extended the                    ability to respond knowledgeably to the
                                                  international commercial vessel (cruise)
                                                                                                          deadline for comments until July 24,                  proposal.
                                                  passengers.                                                                                                      APHIS provided the rationale, data,
                                                                                                          2014, in a document published in the
                                                    • Add a new fee for conducting and
                                                                                                          Federal Register on July 1, 2014 (79 FR               and calculations for the preferred
                                                  monitoring treatments.
                                                                                                          37231, Docket No. APHIS–2013–0021).                   alternative fee schedule in the proposed
                                                    • Remove the caps (limits on the
                                                                                                          We received 234 comments by that date.                rule. However, to provide additional
                                                  number of times a specific conveyance
                                                                                                          They were from trucking companies,                    clarification on how the individual user
                                                  must pay the AQI fee in a given year)
                                                                                                          maritime shipping companies,                          fees were determined, we are providing
                                                  for vessels and railcars.
                                                                                                          commercial cruise lines, airlines, and                a breakdown of the costs that went into
                                                    • Adjust the caps on fees for trucks
                                                                                                          associations representing all of those                calculating each new user fee in Tables
                                                  with transponders. APHIS and CBP
                                                                                                          industries; producers of flowers, fruits,             2, 5, 7, 8, 9, 10, and 11 below.
                                                  determined that there was a benefit to                                                                           One commenter expressed concern
                                                                                                          and vegetables and importers and
                                                  the use of transponders in speeding                                                                           that the proposed rule does not provide
                                                                                                          shippers of those commodities;
                                                  truck traffic through inspection at the                                                                       sufficient background information on
                                                                                                          companies providing fumigation
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                                                  border and thereby reducing the cost to                                                                       how the burden of the new AQI user fee
                                                                                                          treatments; port officials; Federal, State,
                                                  the Federal Government for providing                                                                          costs should be shared by all parties
                                                                                                          and foreign government representatives;
                                                  AQI services. The intent of a cap for                                                                         concerned or how the new fees will be
                                                                                                          and individuals. They are discussed
                                                  truck transponders is to create an                                                                            applied and/or charged to shipments, or
                                                                                                          below by topic.
                                                                                                                                                                batches of agricultural products of
                                                    1 To view the proposed rule, supporting
                                                                                                          Calculation of Fees                                   different sizes.
                                                  documents, and the comments we received, go to
                                                  http://www.regulations.gov/                                Many commenters requested greater                     As stated in the proposed rule, we
                                                  #!docketDetail;D=APHIS-2013-0021.                       transparency regarding our calculation                used the ABC methodology to determine


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                                                  66750            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  the cost of AQI activities and their                    as a whole, were assigned to the                      data entered into the ABC model is
                                                  associated outputs and services. APHIS                  appropriate fee services and modes, the               consistent not only with current
                                                  incorporated ABC methodologies to                       fees were calculated based on the                     operations but also with international
                                                  ensure that the full cost of providing                  projected number of conveyances                       trade agreements.
                                                  AQI services can be appropriately                       subject to inspection within each mode,                  While the ABC methodology is not
                                                  assigned to AQI user fees. The AQI                      using standard units such as a truck or               required by Federal accounting
                                                  expenses are captured in the USDA and                   airplane, as has been done in the past.               guidance, it is a preferred cost
                                                  CBP financial accounting systems.                       The analysis did not further break down               accounting methodology within the
                                                  These systems conform to generally                      the conveyance classes into large and                 manufacturing and service sectors, as
                                                  accepted accounting principles, and                     small shipments. Because of the volume                noted by the Federal Accounting
                                                  each system is subject to accounting                    of conveyances and people crossing the                Standards Advisory Board in its
                                                  audits to ensure its correctness in                     U.S. borders, the Government cannot                   Statement of Financial Accounting
                                                  support of statements of financial                      inspect each piece of baggage, package,               Standards (SFAS) No. 4: Managerial
                                                  positions. The ABC methodology                          or conveyance. To deploy its limited                  Cost Accounting Concepts and
                                                  incorporates industry standards to                      resources most effectively, APHIS uses                Standards for the Federal Government.
                                                  ensure correctness, transparency, and                   scientific data to target shipments                   SFAS No. 4 specifically directs the
                                                  repeatability in the assignment of costs                associated with the highest risks of                  Federal Government to use managerial
                                                  from the APHIS and CBP financial                        introducing pests or diseases into the                cost accounting identification methods
                                                  systems to activities directly related to               United States. Importers and other                    to identify costs. The ABC methodology
                                                  the delivery of AQI services. The costs                 parties pay the fees for all conveyances              incorporates industry standards to
                                                  of our AQI activities are contingent                    subject to inspection under the AQI                   ensure correctness, transparency, and
                                                  upon the time and effort required of                    program, whether or not we inspect the                repeatability in the assignment of costs
                                                  APHIS and CBP staff to perform those                    shipment or vessel. Several factors,                  from the APHIS and CBP financial
                                                  activities. Those activities must be                    including number of conveyances, risk                 systems to activities directly related to
                                                  performed regardless of the size or                     targeting, and other criteria, drive                  the delivery of AQI services. Due to the
                                                  volume of the shipment.                                 inspection costs, but all conveyances                 usefulness of ABC analysis in tracing
                                                     CBP’s agricultural inspection and                    subject to inspection contribute to the               costs through activities, it provides
                                                  safeguarding activities generate the                    cost of, and benefit from, the AQI                    accurate product and service costs,
                                                  majority of AQI costs. We used                          program.                                              which allows managers to evaluate the
                                                  information from the CBP ABC model,                        Whether a fee should be set based on               efficiency and cost-effectiveness of
                                                  which has been in existence for more                    the marginal cost or average cost of the              activities.
                                                  than 10 years, to determine the                         service provided is also a consideration.                In 2009, APHIS set out to determine
                                                  safeguarding activities’ costs. The CBP                 A fee equal to the marginal cost of                   best practices in the Federal
                                                  activity set includes inspection of                     providing the service would maximize                  Government for fee setting. We
                                                  shipments, monitoring compliance, and                   efficiency. Marginal cost is equal to the             published a statement of work seeking
                                                  performing many other related                           cost of providing an additional unit of               a competitive bid to provide assistance
                                                  activities. The costs ascribed to these                 the good or service. Under perfect                    in AQI fee setting. Three major
                                                  activities contain the personnel and                    competition, the marginal cost and                    accounting firms proposed approaches
                                                  related non-personnel costs associated                  average cost of a product are equal to                to the work. Each firm included ABC as
                                                  with the performance of them. The CBP                   each other and to its price. Given that               a best practice. The contract allowed a
                                                  model identifies activities by certain                  AQI services are not provided in a                    third party to analyze and make
                                                  programs or operational areas, and we                   perfectly competitive environment, the                recommendations to APHIS and CBP on
                                                  used AQI-related activities from the CBP                fee assessed on each class is based on                fee setting using applicable Federal
                                                  model and certain activities that support               the average cost of the AQI services for              guidance on fee setting. It was
                                                  the direct delivery of AQI services to the              that class. Based on historical data, we              determined that managerial accounting
                                                  fee payer. The CBP model also provides                  projected AQI program costs for the                   was the appropriate approach based on
                                                  some activity cost information by mode,                 various fee classes (e.g., air passenger,             Federal guidance and the use of ABC
                                                  so we were able to associate some costs                 commercial aircraft, commercial cargo                 methods was the best approach to
                                                  with specific fee schedule services. For                vessel, treatment, etc.). We then divided             achieve a reasonable, reproducible, and
                                                  example, the CBP model has separate                     each class’ total cost by the projected               transparent rule for fee setting. One
                                                  activities for air passenger inspection,                number of times that are expected to be               commenter stated that APHIS should
                                                  air cargo inspection, truck inspection,                 provided to that class based on                       provide additional information about
                                                  etc., so we assigned those activity costs               historical data.                                      the methodology used to calculate the
                                                  directly to the appropriate fee schedule                   One commenter stated that ABC is not               fees because there is reason to question
                                                  items. However, some CBP and APHIS                      required by Federal accounting                        whether costs have been properly
                                                  activities are performed across multiple                guidance. The commenter stated further                calculated or appropriately allocated to
                                                  modes and fee services. Those activity                  that there is no evidence that APHIS                  specific activities for which user fees are
                                                  costs were assigned to the appropriate                  considered other methods of cost                      paid. The commenter cited as an
                                                  fee services based on AQI workload                      accounting. One commenter expressed                   example the FY 2011 cost figures cited
                                                  data. For example, APHIS performs pest                  concern that the economic model used                  in the March 2013 Government
                                                  identification for shipments across all                 to determine the new user fees was                    Accountability Office (GAO) report
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                                                  modes (air cargo, maritime cargo, truck                 based on the findings of a single                     (GAO–13–268 March 2013), which
                                                  cargo, etc.), and the pest identification               consultant and expressed doubt                        differs from the FY 2011 costs outlined
                                                  costs were assigned to each mode based                  regarding the level of scrutiny the model             in the proposed rule.
                                                  on the number of pest identifications                   received. The commenter also stated                      The commenter also stated that the
                                                  performed for each mode.                                that a review of the AQI program should               ABC methodology can result in the
                                                     Once all costs, including support                    consider whether the ABC methodology                  over-absorption of overhead costs, and
                                                  costs that are necessary to support the                 is the most appropriate model for this                that there is no meaningful method of
                                                  operation of the centralized AQI system                 type of operation as well as whether the              assigning ‘‘headquarters-level’’ overhead


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                         66751

                                                  costs to services. The commenters                       staff supports APHIS’ mission of                      by importers). The AQI portion of these
                                                  further stated that such ‘‘headquarters-                protecting and promoting American                     costs is assigned by the ratio of AQI
                                                  level’’ costs, among others listed in the               agriculture and natural resources by                  FTEs as a portion of APHIS FTEs.
                                                  proposed rule, are properly considered                  developing methodologies and                             Central and shared services include
                                                  ‘‘business sustaining’’ and should not be               providing documentation, training,                    the costs of utilities and
                                                  considered AQI program costs at all.                    advice, and technology for                            telecommunication. Shared services are
                                                     A second commenter, representing                     environmental compliance and risk-                    used by many programs. The shared
                                                  the trucking industry, echoed the latter                informed decisionmaking. This is                      services include copy services and
                                                  point, stating that AQI fees should apply               accomplished by using the best                        machines and printing services.
                                                  only when related to the direct                         available science and analytical                      Programs such as AQI use these shared
                                                  inspection of incoming conveyances.                     methods to enable the Agency to make                  services regularly as part of their
                                                  The commenter opposed charging                          and implement decisions that are                      mission. These are centralized services
                                                  carriers for activities not directly related            compliant with the U.S. environmental                 which increase efficiency and reduce
                                                  to the costs and activities of inspecting               laws, other statutory obligations and                 operational cost. Each program pays a
                                                  commercial conveyances, such as                         policies, and international standards.                portion of the total cost. The AQI
                                                  administrative or headquarters-level                    These assessments are resources that are              portion of these costs is assigned by the
                                                  costs, as well as costs incurred for pest               generally applicable to the AQI process.              ratio of AQI FTEs as a portion of APHIS
                                                  identification, scientific research, and                For example, this could include                       FTEs.
                                                  policy development.                                     environmental impacts of methods used                    APHIS depreciation costs are imputed
                                                     The difference in FY 2011 costs                      for the containment of pests introduced               costs and are associated with the square
                                                  between the proposed rule and the GAO                   through the imports of goods. The AQI                 footage of facilities associated with AQI
                                                  report resulted from the fact that the                  portion of these costs is assigned by the             activities, e.g., plant inspection stations.
                                                  GAO report used preliminary results                     ratio of AQI full-time equivalents (FTEs)             The facilities depreciation is assigned to
                                                  from the AQI user fee model, i.e., the                  as a portion of APHIS’ FTEs. (An FTE                  AQI based upon the square footage of
                                                  model developed by Grant Thornton to                    is the equivalent of the number of hours              facilities associated with the AQI
                                                  calculate costs used to run the AQI                     worked by one employee who works on                   program. The equipment costs, such as
                                                  program.                                                a full-time basis.)
                                                     In addition, the costs in the proposed                                                                     those attributable to equipment used in
                                                                                                             The Human Resources staff provides                 identification of pests and diseases, are
                                                  rule separately show the cost of
                                                                                                          central services for human resource                   associated with AQI FTEs so that the
                                                  treatments, whereas the GAO cost
                                                                                                          services for all APHIS employees. Only                costs can be distributed to AQI
                                                  numbers include the cost of treatments
                                                                                                          the AQI portion of these costs is                     activities.
                                                  in each service or pathway. We followed
                                                                                                          included in the fees, and is assigned by                 CBP also captures depreciation
                                                  Federal guidance related to fee setting
                                                                                                          the ratio of AQI FTEs as a portion of                 expenses, as opposed to the actual
                                                  and managerial cost accounting in
                                                                                                          APHIS FTEs. Human Resources’                          purchase price of property, plant and
                                                  determining AQI program costs.
                                                                                                          primary services are to help employees                equipment, which is considered a
                                                  Specifically, we followed OMB Circular
                                                                                                          accomplish their AQI work by:                         capital expenditure (not an expense).
                                                  A–25: User Charges, which provides
                                                  guidance on setting fees in the Federal                 • Recruiting and hiring                               Thus, the purchase is recorded as an
                                                  government, and SFAS No. 4, which                       • Providing insurance and retirements                 asset and is then depreciated.
                                                  includes, among other things, a                            benefits information                               Depreciation expense is the accounting
                                                  definition of full cost. OMB Circular A–                • Processing salaries, promotions,                    process for capturing the cost of an asset
                                                  25, which may be viewed at http://                         recognition, and benefits                          by expensing it periodically throughout
                                                  www.whitehouse.gov/omb/circulars_                       • Providing policy guidance on                        its useful life. While CBP frontline
                                                  default, establishes the requirement that                  performance and labor management                   personnel/FTEs perform a wide array of
                                                  fees be set at full cost to the government,             • Providing supervisors the training and              activities in addition to agriculture
                                                  and provides a definition and examples                     tools they need to carry out their                 inspections, including border security
                                                  for full cost. OMB Circular A–25                           mission                                            between the ports, air and marine
                                                  specifically defines full cost to include               • Promoting the health, safety, and                   interdiction, and immigration and
                                                  the support costs referred to by both                      security of employees                              customs inspections, CBP distributes
                                                  commenters above, as well as the other                  • Planning for workforce and                          depreciation expenses of facilities and
                                                  costs listed by the second commenter.                      succession needs                                   equipment across all mission area
                                                  Certain Agency-level centralized                        • Offering seminars on employee and                   activities proportionally based on FTEs
                                                  services support APHIS’ programs,                          leadership development                             so that no activity is overcharged.
                                                  including the AQI program. Centralizing                 • Providing coaching, mentoring, and                     USDA agencies and CBP also incur a
                                                  these services at the Agency level, rather                 leadership transition services for                 series of costs, as required by law,
                                                  than having each program area maintain                     managers                                           related to their employees, including
                                                  these services individually, increases                  • Supporting employee development                     those employees who provide services
                                                  government efficiency while reducing                       through USDA’s on-line training                    to importers as part of the AQI
                                                  costs through elimination of                               system, AgLearn                                    programs. For example, USDA agencies
                                                  redundancy. In the paragraphs that                         The Information technology (IT) staff              are responsible for recognizing an
                                                  follow, we provide a breakdown of the                   supports and maintains, or manages                    imputed cost equal to the difference
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                                                  services that support the AQI program                   contracts for the various IT systems that             between the cost of providing
                                                  and also discuss the included imputed                   are used by the AQI program. These                    retirement, health, and life insurance
                                                  costs. There are fewer support costs                    systems include those that gather and                 benefits to foreign employees and the
                                                  than were included in the April 2014                    analyze data related to threats from                  contributions agencies currently remit
                                                  proposed rule.                                          various pathways around the world,                    to the State Department for them. The
                                                     The Environmental and Risk Analysis                  those that collect data used to support               AQI portion of these costs is assigned by
                                                  Services staff performs environmental                   proper fee setting efforts, and those used            the ratio of AQI FTEs as a portion of
                                                  assessments for the AQI program. This                   to support permitting (especially used                APHIS FTEs.


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                                                  66752            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                     Office of Personnel Management                          The FECA actuarial liability balance               referred to earlier in this document,
                                                  imputed costs include costs for                         is DOL’s estimate of FECA payments                    establishes Federal policy regarding fees
                                                  pensions, Federal employee health                       that will be made by DOL on behalf of                 assessed for government services. The
                                                  benefits, and Federal employee life                     APHIS in the future. The balance is                   Circular describes ‘‘full cost’’ as
                                                  insurance costs. These costs are directly               periodically adjusted to reflect the                  including all direct, support, and
                                                  associated with AQI FTEs. These costs                   current liability estimate. The actuarial             imputed costs to any part of the Federal
                                                  are distributed to the AQI program                      estimate for the FECA unfunded                        Government of providing a good,
                                                  based upon the ratio of AQI FTEs to                     liability is determined by the DOL using              resource, or service. This includes all
                                                  Agency FTEs. CBP also incurs this                       a method that utilizes historical benefit             direct and imputed personnel costs,
                                                  expense and distributes this cost across                payment patterns related to a specific                such as worker’s compensation costs.
                                                  all mission areas proportionally based                  incurred period to predict the ultimate               Indirect personnel costs are listed under
                                                  on FTEs within the CBP ABC model.                       payments related to that period. The                  imputed costs in Tables 1, 4, 6, 7, 8, 9,
                                                     The Department allocates part of its                 projected annual benefit payments are                 and 10 below. Cooperative agreement
                                                  imputed costs to each Agency. The AQI                   discounted to present value using                     costs are completely separate from the
                                                  portion of these costs is assigned by the               OMB’s economic assumptions for 10-                    AQI user fees. No cooperative agreement
                                                  ratio of AQI FTEs as a portion of APHIS                 year Treasury notes and bonds, and the                costs are included in the user fees and
                                                  FTEs. These costs can be found in the                   amount is further adjusted for inflation.             no user fee costs are included in
                                                  USDA fiscal year 2015 Budget                            The projected number of years of benefit              cooperative agreement charges.
                                                  Explanatory Notes (Departmental                         payments is about 35 years. Each federal                 One commenter asked that APHIS
                                                  Administration, found at http://                        entity must record its portion of the                 provide additional data to demonstrate
                                                  www.obpa.usda.gov/                                      FECA actuarial liability based on                     that the user fees charged for one user
                                                  04da2015notes.pdf).                                     amounts provided by the DOL. The                      fee category would not be used to
                                                     Unemployment compensation is a                       agencies’ actuarial liability balance must            subsidize inspections of another type of
                                                  financial liability that must be                        equal the amounts provided by DOL.                    user fee category. The commenter asked
                                                  accounted for (all organizations that                   The AQI portion of these costs is                     that we provide the dollar amount, if
                                                  follow generally accepted accounting                    assigned by the ratio of AQI FTEs as a                any, under the proposed rule that each
                                                  principles account for this). These are                 portion of APHIS FTEs. CBP also incurs                user is projected to pay in AQI costs for
                                                  costs that are associated with FTEs, and,               this expense and distributes this cost                a different class or classes of user for
                                                  as such, the liability is distributed to                across all mission areas proportionally               FYs 2015 through 2020.
                                                  AQI based upon the ratio of AQI FTEs                    based on FTEs.                                           User fees charged to one class of users
                                                  as a portion of APHIS FTEs. CBP also                       USDA agencies are responsible for                  will not be used to subsidize
                                                  incurs this expense and distributes this                recording the unfunded liability for                  inspections of another class of users. As
                                                  cost across all mission areas                           credit hours, annual leave, and                       noted throughout this document, the
                                                  proportionally based on FTEs.                           compensatory leave. As employees
                                                     The Federal Employees’                                                                                     use of cost accounting principles
                                                                                                          expend credit hours, annual leave, and
                                                  Compensation Act (FECA; 5 U.S.C.                                                                              ensures that costs are aligned with
                                                                                                          compensatory leave, these costs are
                                                  Chapter 81) provides compensation                                                                             activities that generate those costs and
                                                                                                          expensed in the account(s) where those
                                                  benefits to Federal employees for work-                                                                       that costs can only be counted once.
                                                                                                          employees’ salaries are ordinarily
                                                  related injuries or illness and to their                                                                         One commenter asked that we
                                                                                                          charged. Annual expenses of these
                                                  surviving dependents if a work-related                                                                        provide all inputs into the cost base for
                                                                                                          amounts are thus already included as
                                                  injury or illness results in the                        costs in those accounts. To identify the              the proposed AQI user fees that arise
                                                  employee’s death. The FECA is                           additional costs we have annually for                 from non-AQI activities.
                                                  administered by the Department of                       unfunded leave, APHIS is required to                     The AQI costs model calculations for
                                                  Labor (DOL), Office of Workers’                         capture the change in the unfunded                    the user fees did not include non-AQI
                                                  Compensation Programs (OWCP).                           leave balance from the end of the prior               costs. The model captured the non-AQI
                                                  OWCP district offices adjudicate the                    fiscal year. The difference between the               costs, but did not include them in the
                                                  claims and pay benefits, and the costs                  2 years is the amount of leave liability              fee calculations.
                                                  of those benefits are charged back to the               that must be accounted for. APHIS pro-                   Two commenters asked APHIS to
                                                  employing agency. We have two                           rates this amount based upon the                      provide the dollar amount of costs
                                                  unfunded liability-type costs: FECA                     number of AQI FTEs as a portion of the                included in the AQI cost base for any
                                                  unfunded accrual balance and FECA                       total Agency FTEs. CBP also incurs this               and all types of users that are incurred
                                                  actuarial liability balance.                            expense and distributes this cost across              at locations outside of U.S. customs
                                                     The FECA unfunded accrual balance                    all mission areas proportionally based                territory.
                                                  is the current year’s actual FECA                       on FTEs.                                                 Costs for offshore activities, i.e., those
                                                  expense paid by the DOL during the                         Two commenters stated that indirect                performed outside the customs territory
                                                  current year on APHIS’ behalf. The                      employee costs, such as workers’                      of the United States, are not directly
                                                  FECA Special Benefits Fund pays                         compensation expenses, are being                      related to the AQI program and are not
                                                  benefits on behalf of Federal entities as               incorporated into the new rate structure,             included in the AQI cost base.
                                                  costs are incurred and bills the Federal                but APHIS did not provide sufficient                     APHIS has provided summary tables
                                                  entity annually for the costs. The                      details on those costs. The commenters                by fee class (see Tables 1, 4, 6, 7, 8, 9,
                                                  liabilities due to the FECA Special                     asked that APHIS provide this                         and 10 below), that identify the costs to
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                                                  Benefits Fund are considered as                         information as well as a concise                      the Federal Government of providing
                                                  unfunded at the time of receipt of the                  accounting of related expenses                        AQI services. These costs, including
                                                  bill. Each Federal entity must record its               associated with any cooperative                       support and imputed costs, are
                                                  portion of the FECA unfunded liability                  agreements which utilize other Agency                 accounted for in the APHIS and CBP
                                                  based on amounts provided by S. DOL.                    resources to perform AQI functions.                   financial systems of record. APHIS and
                                                  The entity’s unfunded liability balance                    A detailed breakdown of the costs to               CBP use the ABC methodology to align
                                                  must equal the amount provided by                       which the commenters refer has been                   these costs with the activities of each fee
                                                  DOL.                                                    provided above. OMB Circular A–25,                    class.


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                                      66753

                                                     ABC is a two-step approach. First,                   commercial cargo railcar fee. Under the                    working together to secure refunds for
                                                  financial costs are associated with                     3.5 percent funding approach, a greater                    those parties who were incorrectly
                                                  program activities by the level of effort               portion of these fees would have been                      charged.
                                                  employed for each activity as                           used for funding the reserve than with                        The international air passenger user
                                                  determined by labor surveys, time and                   the original rounding approach. The 3.5                    fee covers the costs for services related
                                                  attendance data, and other available                    percent reserve funding approach would                     to the inspection of selected passenger
                                                  data. Second, the activity costs are then               have raised these three fees above their                   baggage and the oversight of the
                                                  aligned with the fee classes to determine               proposed levels. In order to ensure                        handling of regulated garbage generated
                                                  the fee class costs. A unit cost is                     sufficient notice for affected entities,                   on airplanes carrying passengers
                                                  calculated by dividing the total cost of                however, APHIS has decided not to                          entering the customs territory of the
                                                  the AQI fee class by the number of                      raise any fees above those contained in                    United States. Our mission is to prevent
                                                  passengers or conveyances subject to                    the April 2014 proposed rule.                              the entry of foreign agricultural plant
                                                  inspection or other action in a given                                                                              pests and diseases into the United
                                                  year, based on historical data. This ‘raw               Commercial Air Passenger and
                                                                                                          Commercial Aircraft User Fees                              States. APHIS can include the cost of
                                                  fee’ is rounded up to ensure that                                                                                  inspecting commercial aircraft that carry
                                                  revenue is sufficient to maintain the                     One commenter asked that APHIS                           passengers in the international air
                                                  reserve balance. APHIS used data from                   provide data underlying the proposed                       passenger user fee if those costs directly
                                                  3 years of expenditures, FYs 2010                       $4 AQI air passenger user fee.                             relate to passenger baggage or regulated
                                                  through 2012, to derive the new fee                       Using our revised model for
                                                                                                                                                                     garbage. APHIS does not include the
                                                  rates.                                                  calculating the reserve resulted in a
                                                                                                                                                                     cost of inspecting cargo or the cargo
                                                     APHIS and CBP rely on the reserve                    reduction of the air passenger fee to
                                                                                                                                                                     hold area of the plane in the passenger
                                                  account in years where program costs                    $3.96 in this final rule. Further
                                                                                                                                                                     fees.
                                                  are greater than the revenue collected.                 breakdown of the calculations leading to
                                                  While these funds can carry over from                   the new air passenger AQI user fee is                         The commercial aircraft user fee pays
                                                  year to year, they are used for one-time                shown below in Table 1.                                    the costs of inspecting the aircraft itself,
                                                  costs associated with the AQI program,                                                                             cargo inspection, the cargo hold, and the
                                                  such as capital improvements and to                           TABLE 1—AIR PASSENGER FEE                            costs of monitoring aircraft disinfection
                                                  cover the program costs when the                                     CALCULATION                                   if: (1) Such services occur during the
                                                  revenue generated is less than the cost                                                                            regular hours of service (8 a.m. to 4:30
                                                  of the program. It is important not to                                Air Passenger Fee $3.96                      p.m. Monday through Friday) or (2)
                                                  include one-time costs in the                                                                                      inspection of the cargo is concurrent
                                                  calculation of the fees because doing so                FY 2010 data:                                              with inspection of the aircraft.2 Cargo
                                                  would overinflate the true cost of                        APHIS AQI FTEs ..............                      223   owners may request inspection outside
                                                  providing services. The ABC                               APHIS Total Cost ..............            $21,711,724   of regular business hours, but would be
                                                                                                            APHIS Imputed Cost .........                $1,593,447   subject to reimbursable overtime costs
                                                  methodology ensures that the revenue                      APHIS and USDA Support
                                                  collected will cover program costs and                                                                             under 7 CFR 354.1 in addition to the
                                                                                                              Cost ...............................       1,910,180
                                                  reserve requirements over the period the                  CBP Total Cost .................           266,497,469   applicable AQI user fee. Airlines send
                                                  fees are in effect. While the reserve                     CBP Imputed Cost ............               21,951,183   their payments to our lockbox quarterly,
                                                  account is a single fund, the projected                   CBP and DHS Support                                      no more than 31 days after the close of
                                                  reserve amounts that each fee class                         Cost ...............................      87,468,279   each quarter along with a written
                                                  would contribute to the AQI program                       Reserve Amount ...............             $14,527,679   statement with required information as
                                                  reserve are included separately in the                    Number of Passengers .....                  76,448,705   detailed in § 354.3(e)(3). The system is
                                                                                                            Calculated Unit Cost .........                   $3.77   based on self-reporting; however,
                                                  summary tables, to transparently show
                                                                                                          FY 2011 data:
                                                  the total revenue generated by each fee                   APHIS AQI FTEs ..............                      224   regular audits are conducted to make
                                                  class.                                                    APHIS Total Cost ..............            $20,829,319   sure payment is received for all aircraft
                                                     In response to concerns expressed by                   APHIS Imputed Cost .........                $1,566,108   covered by this fee. If an entity is
                                                  numerous commenters, we have made                         APHIS and USDA Support                                   incorrectly charged a commercial
                                                  some changes to our methodology for                         Cost ...............................         391,307   aircraft fee, the entity can direct its
                                                  calculating the AQI reserve amounts. As                   CBP Total Cost .................           270,317,238   refund inquiry to the Supervisor of the
                                                  noted above, in calculating the fees for                  CBP Imputed Cost ............               20,470,874   Financial Management Division’s Debt
                                                  the April 2014 proposed rule, we relied                   CBP and DHS Support
                                                                                                                                                                     Management Team. The type of proof or
                                                                                                              Cost ...............................      84,458,217
                                                  upon a rounding method for generating                                                                              documentation the airline sends to the
                                                                                                            Reserve Amount ...............             $21,082,947
                                                  the revenue to fund the reserve account.                  Number of Passengers .....                  78,901,506   team to support its refund request
                                                  We rounded the fee up to the nearest $1                   Calculated Unit Cost .........                   $3.69   depends on the exemption in
                                                  for fees less than $100 and to the nearest              FY 2012 data:                                              § 354.3(e)(2) that the airline believes
                                                  $25 for fees over $100. The use of this                   APHIS AQI FTEs ..............                      225   itself entitled to, and the documentation
                                                  rounding method would have enabled                        APHIS Total Cost ..............            $22,604,086   thus varies.
                                                  us to achieve our reserve funding targets                 APHIS Imputed Cost .........                $2,051,921
                                                                                                            APHIS and USDA Support                                      One commenter asked that we
                                                  for the AQI program in 3 years. In this                                                                            provide CBP’s costs, from each FY from
                                                  final rule, however, the fees by class are                  Cost ...............................       1,779,664
                                                                                                            CBP Total Cost .................           287,962,928   2010 to the present, for providing
                                                  based on a 3-year average of the AQI                      CBP Imputed Cost ............               20,471,708   preclearance or pre-inspection services
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                                                  costs, FYs 2010–2012, that have been                      CBP and DHS Support                                      to commercial air passengers at
                                                  inflated to FY 2016 dollars. To fund the                    Cost ...............................      85,405,303   locations outside the customs territory
                                                  reserve, these base fees are increased by                 Reserve Amount ...............             $¥4,491,747   of the United States.
                                                  3.5 percent. Our use of this method has                   Number of Passengers .....                  77,255,476
                                                  resulted in the reduction of all the fees                                                                            2 Even if a plane carries no cargo, it is subject to
                                                  contained in the April 2014 proposed                      One commenter expressed concern                          inspection because it could carry insect pests, weed
                                                  rule except the commercial aircraft fee,                that APHIS may be charging the aircraft                    seeds, waste material from garbage, or other waste
                                                  the commercial cargo vessel fee, and the                fee for passenger flights and suggested                    that is capable of harboring animal disease.



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                                                  66754                Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                    Table 2 below contains CBP’s                                      FY 2014. CBP charges costs                                       it is immigration, customs, or
                                                  preclearance costs for FY 2012 through                              appropriately based on activity whether                          agriculture.

                                                                                                          TABLE 2—AIR PASSENGER PRECLEARANCE EXPENSES
                                                                                            Data in whole dollars                                                            FY 2012              FY 2013           FY 2014

                                                  Preclearance Expenses .............................................................................................      $86,600,433          $93,537,883       $105,495,491



                                                     Several commenters expressed                                     while keeping the United States secure.                             The Airport and Airway Development
                                                  concern regarding the impact of the rule                            CBP collects Express Consignment Fees                            Act of 1970 limits charges to private
                                                  on express consignment carriers. (As                                to help recover the costs of providing                           aircraft to $25.00. Private aircraft are
                                                  defined in 19 CFR part 128, an express                              customs cargo processing services to                             defined by the Act as not being used to
                                                  consignment carrier is ‘‘an entity . . .                            express consignment carriers or                                  transport passengers or property for
                                                  moving cargo by special express                                     centralized hub facilities. The fee is not                       compensation. Currently, no AQI fees
                                                  commercial service under closely                                    for agricultural inspection services.                            are collected for the inspection of
                                                  integrated administrative control. Its                                AQI user fees reimburse agriculture                            private aircraft and their passengers.
                                                  services are offered to the public under                            inspections in ECCFs because these                               The cost is less than $13 million, and
                                                  advertised reliable, timely delivery on a                           activities are separate from the customs                         the additional cost of creating and
                                                  door-to-door basis. An express                                      processing costs incurred at those                               operating fee collections led us to
                                                  consignment operator assumes liability                              facilities. The ABC model uses a series                          recommend that private aircraft and
                                                  to Customs for the articles in the same                             of financial and workload data to derive                         their passengers continue not to be
                                                  manner as if it is the sole carrier.’’) One                         CBP program costs. The ECCF fees                                 subject to an AQI user fee. APHIS is not
                                                  commenter stated that the commercial                                under COBRA only support the customs                             required to charge fees to any specific
                                                  aircraft user fee is not commensurate                               inspections and the AQI user fees only                           group of service users. The FACT Act
                                                  with the cost of providing AQI services                             support the agriculture inspections. CBP                         authorizes APHIS to establish fees in a
                                                  to express consignment carriers. Several                            charges, tracks, and reports this activity                       reasonable manner to recover funds
                                                  commenters expressed concern that the                               using its ABC systems and analyses.                              spent on safeguarding activities. As
                                                  costs for use of office space, equipment,                             The user fee does not differ based on                          stated previously, those costs not
                                                  and supplies, which express                                         the class of aircraft inspected because                          recovered through a user fee are paid for
                                                  consignment carriers are required to                                the risks we are seeking to address and                          through appropriated funding.
                                                  provide to CBP under 19 U.S.C.                                      nature of the AQI services provided do                              One commenter asked that APHIS
                                                  58c(b)(9)(B)(ii) and 19 CFR.                                        not differ based on the class of aircraft                        provide information concerning the
                                                  128.11(b)(7)(iii) in Express Consignment                            inspected. The costs associated with the                         penalty collections and how they may
                                                  Clearance Facilities (ECCFs), which are                             inspection of commercial aircraft are                            offset our AQI costs.
                                                  essentially bonded warehouses that are                              averaged, and all flights pay the same                              Penalty collections do not offset the
                                                  able to handle express high volume                                  user fee. CBP also does not differentiate                        costs we incur in administering the AQI
                                                  parcel flows into the United States, have                           between types of commercial aircraft                             program. Penalties are assessed
                                                  been included in the calculation for the                            carrying cargo. There is no duplication                          separately under a different authority
                                                  AQI commercial aircraft fee, resulting in                           of costs in the fees. The ABC model                              than the authority under which APHIS
                                                  duplicate fee assessments.                                          gathers costs by activity type and drives                        conducts its AQI user fee program. Any
                                                     The Trade Act of 2002 (Pub. L. 107–                              those costs to the cost pools by fee type.                       amounts the Federal Government
                                                  210) section 337, codified as 19 U.S.C.                             The costs from the financial systems of                          assesses in fines to individuals or
                                                  58c (b)(9)(A)(ii) and (b)(9)(B), authorized                         APHIS and CBP are entered into the                               parties whom we catch attempting to
                                                  the establishment of the ECCF fee to                                ABC model, and the output of the model                           smuggle prohibited items, such as fruits,
                                                  reimburse CBP for the customs                                       must equal those costs entered into the                          vegetables, plant pests or flower bulbs,
                                                  processing costs incurred at those                                  model, thereby ensuring that all costs                           into the United States are sent to a
                                                  facilities. The original fee was set at 66                          are accounted for and that no cost was                           general fund at the U.S. Treasury
                                                  cents per individual airway bill or bill                            duplicated. Therefore, the costs for use                         Department. The fines are not deposited
                                                  of lading and was later increased to $1                             of office space, equipment, and                                  into any AQI account or used to pay for
                                                  effective July 2008. Congress also                                  supplies, which express consignment                              AQI services.
                                                  mandated that 50 percent of the ECCF                                carriers are required to provide to CBP                             The same commenter requested more
                                                  fee collection be paid to the Secretary of                          under 19 U.S.C. 58c(b)(9)(B)(ii) and 19                          information on how the Agency projects
                                                  the Treasury. Because the other half of                             CFR 128.11(b)(7)(iii) in ECCFs, have not                         the pool of users from which it proposes
                                                  the ECCF fees are deposited in the                                  been included in the calculation for the                         to recover costs. Specifically, the
                                                  Customs User Fee Account, for                                       AQI commercial aircraft fee.                                     commenter asked that APHIS provide
                                                  budgetary purposes, they are reported as                              Several commenters asked APHIS to                              the source of data and any assumptions
                                                  part of the Consolidated Omnibus                                    explain its claimed cost differentials                           made regarding the annual number of
                                                  Budget Reconciliation Act (COBRA)                                   between private and commercial aircraft                          both international airline passenger
                                                  user fees. Together, the COBRA and                                  inspections. The commenters stated that                          arrivals and international aircraft
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                                                  ECCF User Fees financially support                                  exempting private aircraft from paying                           arrivals in the United States that APHIS
                                                  certain, statutorily-enumerated costs                               user fees creates a competitive                                  anticipates will be subject to AQI fees.
                                                  related to customs inspection functions.                            distortion because private aircraft                              The commenter also asked for a
                                                  These user fees support the customs                                 compete with commercial aircraft to                              description of any internal or external
                                                  inspection functions performed by CBP                               some extent. The commenters also                                 review of this data or quality control of
                                                  and the Customs Broker Program. These                               stated that exempting private aircraft                           this data.
                                                  user fees support CBP’s mission of                                  from the user fees is contrary to the                               A second commenter also asked that
                                                  facilitating legitimate trade and travel                            FACT Act.                                                        APHIS identify the base numbers used


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                                                                     Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                                66755

                                                  for airline passenger and aircraft arrivals                     actual and estimated volumes of                          the dollar amount of any and all
                                                  in the Grant Thornton study and the                             passengers and conveyances provided                      penalties assessed or paid for AQI
                                                  regulatory impact analysis (RIA) that                           in Table 6 of the proposed rule are                      violations for: (1) Commercial aircraft
                                                  accompanied the proposed rule and                               accurate and the amount of service users                 carrying only passengers and passenger
                                                  compare them to industry-standard                               that do not pay user fees can be readily                 baggage (no cargo), (2) commercial
                                                  sources such as the U.S. Department of                          calculated.                                              aircraft engaged solely in the
                                                  Transportation’s T–100 data. The                                   One commenter asked for a                             transportation of cargo, (3) commercial
                                                  commenter also asked that APHIS verify                          description and the number of any and                    aircraft carrying passengers and
                                                  the reliability of data derived from the                        all types of aircraft not subject to AQI                 passenger baggage and cargo, and (4)
                                                  workload projections listed in Table 6 of                       fees. The commenter also asked what                      private aircraft for each year between FY
                                                  the proposed rule and asked for the                             the costs were of inspecting types of                    2010 and the present. It was requested
                                                  number of users of AQI services that do                         aircraft not subject to AQI fees.                        that we provide the number of pest
                                                  not pay AQI fees.                                                  Under § 354.3(e)(2)(iv), all passenger                interceptions for each of these types of
                                                     We used data provided by the                                 aircraft originating in any country that                 AQI aircraft inspection for each year
                                                  International Air Transport Association                         have 64 or fewer seats and that do not                   between FY 2010 and the present.
                                                  (IATA) regarding the annual number of                           carry certain regulated articles are                        The collection of civil penalties and
                                                  international aircraft and international                        exempt from paying the aircraft AQI                      assessments is authorized under 31
                                                  airline passenger arrivals in the United                        user fee. APHIS maintains the 64-seat                    U.S.C. 3806. Under this authority,
                                                  States. The T–100 data includes data                            plane size distinction in harmony with                   APHIS and CBP assess penalties for AQI
                                                  provided by IATA. The Grant Thornton                            CBP and other U.S. Government                            violations and remit the funds as
                                                  study used preliminary results from the                         agencies with jurisdiction over civil                    miscellaneous receipts in the Treasury
                                                  AQI model in order to provide                                   aviation. APHIS does not maintain data                   of the United States. The dollar amount
                                                  information for APHIS decisionmaking                            on the number of exempted arrivals                       of penalties assessed for AQI violations
                                                  for the proposed user fee rates. The                            because the airlines do not report those                 between FY 2010 and FY 2013 are
                                                  study had many fee structure options for                        flights. In FY 2012, the most recent year                shown below in Table 3. Please note
                                                  AQI cost recovery. Once the decisions                           for which we have data, the cost of                      that this data is not limited to aircraft.
                                                  on fees were made, Grant Thornton                               inspecting aircraft not subject to AQI                   Because APHIS does not track penalties
                                                  finalized the ABC model that provided                           fees was $12,361,173.16. Those costs                     in accordance with the categories the
                                                  the figures found in the proposed rule                          not recovered through a user fee are                     commenters provided (commercial
                                                  based on the user fee setting guidance                          paid for through appropriated funding.                   airline, noncommercial airline, etc.), we
                                                  provided by GAO. Based on the data we                              Commenters requested information                      are not able to provide that level of
                                                  received, APHIS determined that the                             regarding the number of penalties and                    specificity.

                                                                                                      TABLE 3—PENALTIES ASSESSED FOR AQI VIOLATIONS
                                                                                                                                [Figures in whole dollars]

                                                                                                                                                                     Dept. of Agriculture

                                                                                                                                         FY 2010                 FY 2011              FY 2012           FY 2013

                                                  Fines, Fees, and Forfeitures ...................................................      $3,881,627              $3,466,238          $2,860,793         $2,857,019



                                                     All arriving international commercial                        inspections performed, broken out by                     complex fee structure. This helps to
                                                  flights are subject to the commercial                           type of inspection if there are different                keep the fee costs to the payer as low
                                                  airline clearance fee and inspection.                           types, and the time spent on AQI                         as possible. A simple fee structure
                                                  APHIS does not collect pest interception                        inspections performed for each type of                   benefits both the stakeholders and the
                                                  data in a manner that allows distinction                        aircraft operation. The commenters                       Federal Government. As mentioned
                                                  based upon the airline flight                                   asked that the aircraft operation types be               above, it would be administratively
                                                  categorization model. For example, we                           quantified and broken down into the                      burdensome to charge and audit a
                                                  do not distinguish carriers carrying                            following categories: Commercial                         multitude of fees for the many different
                                                  special express items from others. We                           aircraft carrying only passengers and                    types of commercial aircraft and their
                                                  maintain pest interception data only to                         passenger baggage (no cargo),
                                                                                                                                                                           cargo that enter the United States.
                                                  make risk decisions using applicable                            commercial aircraft engaged solely in
                                                                                                                                                                           Federal guidance states that costs
                                                  risk data such as country of origin,                            the transportation of cargo, commercial
                                                  transit country, host material, etc.                            aircraft carrying passengers and                         should be estimated from the best
                                                  Collecting pest interception data for the                       passenger baggage and cargo                              available records and that new systems
                                                  categories suggested by the commenter                           (‘‘combination’’ services), private                      need not be established solely for the
                                                  would be administratively burdensome                            aircraft, and any other categories of                    purpose of fee setting. Further
                                                  to maintain and would not improve our                           aircraft not included elsewhere.                         breakdown of the cost calculations for
                                                  ability to make risk-based decisions.                              APHIS designed its AQI user fee                       the commercial aircraft AQI user fee is
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                                                     Two commenters asked for specific                            structure to be simple and easily                        shown below in Table 4. This fee did
                                                  information related to commercial                               understood. This allows our                              not change as a result of the
                                                  aircraft and airline passenger AQI user                         stakeholders to save on effort and cost                  modification in our method of
                                                  fees. The commenters asked that APHIS                           for determining fee costs and what                       calculating the reserve.
                                                  provide, for each FY from 2010 to the                           would be payable to APHIS under a
                                                  present, the total cost of AQI                                  complex fee structure. APHIS and CBP
                                                  inspections for each type of aircraft                           save resources and costs by not having
                                                  operation, the number of AQI                                    to design a process for administering a


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                                                  66756               Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                   TABLE 4—COMMERCIAL AIRCRAFT FEE                               TABLE 5—APHIS AND CBP AQI AC- program used ensures that costs are not
                                                            CALCULATION                                           TIVITIES RELATED TO COMMERCIAL counted twice. The ABC methodology
                                                                                                                  AIR PASSENGERS—Continued       uses a causal relation between resources
                                                           Commercial Aircraft Fee $225.00                                                                           (general ledger costs) and activities and
                                                                                                                 —Develop Regulations, Manuals and                   activities and user fees. We used
                                                  FY 2010 data:                                                   Standards.                                         workload data associated with each
                                                    APHIS AQI FTEs ..............                  295.38        —Emergency Action Notifications.                    activity, based on a causal relationship,
                                                    APHIS Total Cost ..............           $56,315,442        —Manage Agency Quality Assurance Pro-               to ‘‘drive’’ the costs to the appropriate
                                                    APHIS Imputed Cost .........               $4,217,943         gram.
                                                                                                                 —Manage the Import Permitting Process.
                                                                                                                                                                     fee area. In addition, the modeling
                                                    APHIS and USDA Support                                                                                           software ensures that the cost coming
                                                      Cost ...............................     $5,427,502        —Manage the Pest Permitting Process.
                                                    CBP Total Cost .................          $98,929,370        —National Clean Plant Network (import).             into the model (data from the official
                                                    CBP Imputed Cost ............              $8,089,831        —Offshore Pest Information Program                  financial accounting system of record) is
                                                    CBP and DHS Support                                           (OPIP) operations.                                 equal to the costs that are assigned to
                                                      Cost ...............................    $32,682,288        —Perform pest and disease identification.           each ‘‘layer’’ of the model (activities and
                                                    Reserve Amount ...............           $¥7,323,737         —Perform Trend Analysis.                            fees/services).
                                                    Number of Aircraft .............              657,427        —Policy Development and Implementation.                APHIS does not track the action of
                                                    Calculated Unit Cost .........                $236.14        —Port Environs Survey.                              removing and disposing of regulated
                                                  FY 2011 data:                                                  —Post-entry Quarantine Operations (PEQ).
                                                                                                                 —Propagative Plants and Plant Materials
                                                                                                                                                                     garbage, but rather captures those costs
                                                    APHIS AQI FTEs ..............                  290.68                                                            through various activities. There is no
                                                    APHIS Total Cost ..............           $55,601,929         Inspection Operations.
                                                                                                                 —Provide Investigative Enforcement Serv-            need or requirement within the cost
                                                    APHIS Imputed Cost .........               $4,203,426                                                            model to use such information because
                                                                                                                  ices.
                                                    APHIS and USDA Support
                                                      Cost ...............................     $2,266,408
                                                                                                                 —Safeguarding.                                      the actions relative to regulated garbage
                                                                                                                 —Smuggling, Interdiction, & Trade Compli-           are included within the existing
                                                    CBP Total Cost .................         $105,721,353
                                                                                                                  ance (SITC) Operations.                            activities, and therefore, do not provide
                                                    CBP Imputed Cost ............              $7,783,047
                                                                                                                 —Support overseas programs.                         information for decisionmaking in fee
                                                    CBP and DHS Support
                                                                                                                 —Trade.
                                                      Cost ...............................    $32,007,936                                                            setting. Compliance checks and
                                                                                                                 —Verification of Compliance Agreements,
                                                    Reserve Amount ...............           $¥3,678,381
                                                                                                                  Accreditation and Certification Programs.          verification of compliance agreements
                                                    Number of Aircraft .............              700,644                                                            are two key activities related to
                                                    Calculated Unit Cost .........                $230.25      CBP AQI Activities Related to Commercial              regulated garbage. ABC analysis
                                                  FY 2012 data:                                                 Air Passengers:                                      captures the cost of compliance checks
                                                    APHIS AQI FTEs ..............                     290       —Cargo—Air.                                          for various conveyance modes in
                                                    APHIS Total Cost ..............           $54,520,540       —Compliance Checks—Air.
                                                    APHIS Imputed Cost .........               $4,153,439
                                                                                                                                                                     separate activities and assigns the costs
                                                                                                                —Non-Intrusive Technology—Passenger—                 to the appropriate fees. Compliance
                                                    APHIS and USDA Support                                        Air.
                                                      Cost ...............................     $2,554,914                                                            checks performed by CBP cost
                                                                                                                —Examine—Compliant Passengers—Air.
                                                    CBP Total Cost .................         $103,225,589       —Interception Process—Air.                           approximately $15 million, and this
                                                    CBP Imputed Cost ............              $7,340,236       —Individual Mail.                                    activity cost was assigned to the
                                                    CBP and DHS Support                                         —Interception Process—Mail.                          calculation of the fee for passenger
                                                      Cost ...............................    $30,530,745       —Safeguarding.                                       aircraft and cargo aircraft based on the
                                                    Reserve Amount ...............             $4,085,346       —Antiterrorism—Trade.                                number of compliance inspections
                                                    Number of Aircraft .............              719,251       —NTC (National Targeting Center).                    performed for each type of aircraft.
                                                    Calculated Unit Cost .........                $219.32       —Courier Mail.                                       Verification of compliance agreements,
                                                                                                                —Compliance Checks—Misc.
                                                                                                                                                                     performed by APHIS, costs
                                                    Several commenters asked for a                              —Cut Flower Release—Air.
                                                                                                                —Informed Compliance—Air.                            approximately $4.5 million, and is
                                                  detailed description of the categories of                                                                          assigned to all cargo outputs (modes)
                                                  costs that are covered by the aircraft                        —Antiterrorism—Passenger—Air.
                                                                                                                —Identify—Air.                                       because this cost is not initially
                                                  AQI fee applicable to commercial                              —Examine—Noncompliant Passengers—                    captured by mode. Another example of
                                                  passenger aircraft (cargo inspections,                          Air.                                               an activity that is not explicitly counted
                                                  inspections of cargo hold area,                               —Personnel Management & Development.                 and tracked is pest identification
                                                  passenger baggage, etc.).                                                                                          performed by APHIS employees. This
                                                    The commercial passenger aircraft                             Several commenters asked for an                    activity is performed for all modes, and
                                                  AQI fee covers the following categories                      explanation and data supporting the                   the cost of the activity is assigned to
                                                  of costs:                                                    manner in which the proposed rule                     each mode based on the number of pest
                                                                                                               allocates AQI user fees between air                   identifications performed for each mode
                                                    TABLE 5—APHIS AND CBP AQI AC-                              passenger and aircraft operators in the               using workload data recorded by
                                                     TIVITIES RELATED TO COMMERCIAL                            case of expenses listed twice (once for               APHIS.
                                                     AIR PASSENGERS                                            each type of user) in the proposed rule,                 Several commenters asked for an
                                                                                                               namely monitoring and storage of                      explanation of the types of aircraft
                                                  APHIS AQI Activities Related to Commercial                   regulated garbage and removal of                      operations subject to the fee variously
                                                   Air Passengers:                                             regulated garbage from the aircraft and               referred to in the proposed rule, RIA,
                                                   —Asian Gypsy Moth Offshore (AGM) Miti-                      inspection of the aircraft hold, as well              and supporting documents as
                                                     gation Program Coordination and Oper-                     as any other AQI cost categories that are             ‘‘Commercial Air (Cargo only),’’
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                     ations.                                                   attributed to more than one payer.                    ‘‘Commercial Aircraft,’’ and ‘‘air cargo
                                                   —AQI Outreach.                                                 Both the structure of the official
                                                   —CITES program and enforcement.
                                                                                                                                                                     fee.’’
                                                                                                               financial accounting system of record,                   The regulations in 7 CFR 354.3 define
                                                   —Containment Facilities.
                                                   —Database Management Operations.                            which follows Federal accounting                      a ‘‘commercial aircraft’’ as any aircraft
                                                   —Design, present, receive non AQI-related                   standards, and the ABC analysis                       used to transport persons or property for
                                                     training (Department required training).                  software do not allow the counting of                 compensation or hire. This term may
                                                   —Develop Quarantine Policy for the Ports                    costs more than once. The use of the                  refer to aircraft carrying either
                                                     of Entry.                                                 ABC model as well as the software                     passengers or cargo or a mixture of both


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                                                                      Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                                      66757

                                                  passengers and cargo. The term                                 TABLE 7—COMMERCIAL VESSEL FEE                            members onboard for purposes related
                                                  ‘‘commercial air (cargo only)’’ refers to                               CALCULATION                                     to the operation of the vessel.’’ Such
                                                  those commercial aircraft carrying only                                                                                 crew members include those that
                                                  cargo. The term ‘‘air cargo fee’’ may be                              Commercial Vessel Fee $825.00                     provide support for dining and
                                                  used interchangeably with ‘‘commercial                                                                                  entertainment.
                                                  aircraft user fee,’’ and applies to aircraft                 FY 2010 data:
                                                                                                                                                                          Commercial Truck User Fees
                                                  carrying passengers (and cargo).                               APHIS AQI FTEs ..............                      188
                                                                                                                 APHIS Total Cost ..............            $34,609,899      APHIS used CBP data associated with
                                                  Commercial Vessel (Cruise) Passenger                           APHIS Imputed Cost .........                $2,552,290   truck crossings at the border to
                                                  and Commercial Vessel User Fees                                APHIS and USDA Support                                   determine the appropriate fee. We found
                                                                                                                   Cost ...............................      $3,502,650   that 91 percent of truck crossings at the
                                                    One commenter asked that APHIS                               CBP Total Cost .................           $54,959,507   border use transponders, and the
                                                  provide data underlying the proposed                           CBP Imputed Cost ............               $4,522,814
                                                                                                                                                                          remaining 9 percent of trucks pay the
                                                  $2 AQI commercial vessel (cruise)                              CBP and DHS Support
                                                                                                                   Cost ...............................     $17,740,837   per-crossing commercial truck
                                                  passenger user fee.
                                                                                                                 Reserve Amount ...............              $7,171,744   inspection fee. We are able to associate
                                                    As a result of the change in our                             Number of Vessels ...........                  117,262   the total cost of commercial truck
                                                  method for calculating the reserve                             Calculated Unit Cost .........                 $763.84   inspections with the transponder and
                                                  amount, this fee has been reduced to                         FY 2011 data:                                              per- crossing inspection fee based upon
                                                  $1.75 in this final rule, while the vessel                     APHIS AQI FTEs ..............                      183   these percentages. Based upon the data
                                                  fee remains unchanged from that                                APHIS Total Cost ..............            $31,795,471   CBP provided to Grant Thornton, it was
                                                  contained in the proposed rule. Further                        APHIS Imputed Cost .........                $2,383,368   determined that 9 percent of the total
                                                  breakdown of the calculations leading to                       APHIS and USDA Support                                   cost associated with the per-crossing fee
                                                                                                                   Cost ...............................      $1,392,632
                                                  the new sea passenger and commercial                                                                                    equated to the proposed fee of $8. As a
                                                                                                                 CBP Total Cost .................           $62,330,388
                                                  vessel AQI user fees are shown below in                        CBP Imputed Cost ............               $4,490,189   result of the change in our methodology
                                                  Tables 6 and 7.                                                CBP and DHS Support                                      for calculating the reserve, however, the
                                                                                                                   Cost ...............................    $17,602,759    per-crossing fee has been reduced to
                                                       TABLE 6—COMMERCIAL VESSEL                                 Reserve Amount ...............           $¥10,145,808    $7.55 in this final rule. The transponder
                                                     (CRUISE) PASSENGER FEE CALCULA-                             Number of Vessels ...........                 101,794    fee has undergone a corresponding
                                                     TION                                                        Calculated Unit Cost .........                $924.67    reduction from $320 in the April 2014
                                                                                                               FY 2012 data:                                              proposed rule to $301.67 in this final
                                                                                                                 APHIS AQI FTEs ..............                      182   rule. Approximately 64 percent of the
                                                    Commercial Vessel (Cruise) Passenger Fee                     APHIS Total Cost ..............            $30,714,122
                                                                     $1.75                                       APHIS Imputed Cost .........                $2,320,790
                                                                                                                                                                          cost of inspecting trucks with
                                                                                                                 APHIS and USDA Support                                   transponders will be covered by CBP’s
                                                  FY 2010 data:                                                                                                           annual appropriation. Further
                                                                                                                   Cost ...............................      $1,730,986
                                                    APHIS AQI FTEs ..............                        7                                                                breakdown of the calculations leading to
                                                                                                                 CBP Total Cost .................           $62,745,589
                                                    APHIS Total Cost ..............             $2,011,416
                                                                                                                 CBP Imputed Cost ............               $4,440,037   the new commercial truck AQI user fee
                                                    APHIS Imputed Cost .........                  $149,332
                                                    APHIS and USDA Support
                                                                                                                 CBP and DHS Support .....                  $17,605,694   is shown below in Table 8.
                                                                                                                 Reserve Amount ...............                $365,064
                                                      Cost ...............................       $175,193
                                                                                                                 Number of Vessels ...........                  113,727     TABLE 8—COMMERCIAL TRUCK FEE
                                                    CBP Total Cost .................          $16,315,113
                                                                                                                 Calculated Unit Cost .........                 $821.79
                                                    CBP Imputed Cost ............              $1,348,650                                                                           CALCULATION
                                                    CBP and DHS Support
                                                      Cost ...............................      $4,892,097       The current regulations provide an
                                                                                                                                                                                        Commercial Truck Fee
                                                    Reserve Amount ...............              $1,971,842     exemption from the payment of user
                                                    Number of Passengers .....                  11,599,069     fees for the crew members on duty on                       FY 2010 data:
                                                    Calculated Unit Cost .........                   $1.58     an arriving aircraft. In the proposed                        Per crossing @ $7.55:
                                                  FY 2011 data:                                                rule, we proposed to allow the same                              APHIS AQI FTEs .......                    8.9
                                                    APHIS AQI FTEs ..............                        9     exemption for crew members on duty                               APHIS Total Cost ......           $1,333,487
                                                    APHIS Total Cost ..............             $2,352,414     aboard an arriving cruise ship. One                              APHIS Imputed Cost                   $98,765
                                                    APHIS Imputed Cost .........                  $179,034     commenter asked for clarification as to                          APHIS and USDA
                                                    APHIS and USDA Support                                                                                                         Support Cost ..........          $124,512
                                                      Cost ...............................        $94,061
                                                                                                               the definition of a crew member on                               CBP Total Cost ..........         $5,075,771
                                                    CBP Total Cost .................          $21,322,812      duty, since ships have operations,                               CBP Imputed Cost .....              $417,721
                                                    CBP Imputed Cost ............              $1,405,434      maintenance and inspection                                       CBP and DHS Sup-
                                                    CBP and DHS Support                                        requirements, and schedules that are                                port Cost .................    $1,258,435
                                                      Cost ...............................    $5,269,074       radically different than the air industry.                       Reserve Amount ........             $656,425
                                                    Reserve Amount ...............           $¥1,034,502       Therefore, migrating the exemption for                           Number of Trucks ......              911,701
                                                    Number of Passengers .....                12,931,271       airlines to the shipping industry may                            Calculated Unit Cost ..                $7.03
                                                    Calculated Unit Cost .........                 $1.83                                                                    Transponder @ $301.67
                                                                                                               not be the most precise and effective
                                                  FY 2012 data:                                                                                                                 APHIS AQI FTEs .......                  80.1
                                                                                                               way to address this matter. The                                  APHIS Total Cost ......          $13,483,031
                                                    APHIS AQI FTEs ..............                        9
                                                    APHIS Total Cost ..............             $2,301,838
                                                                                                               commenter asked that this exemption be                           APHIS Imputed Cost                  $998,620
                                                    APHIS Imputed Cost .........                  $171,207     reworded or clarified, for example, to                           APHIS and USDA
                                                    APHIS and USDA Support                                     apply to ‘‘all persons onboard for                                  Support Cost ..........        $1.258,950
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                      Cost ...............................        $95,235      purposes related to the operation of the                         CBP Total Cost ..........        $51,236,081
                                                    CBP Total Cost .................          $19,891,404      ship.’’                                                          CBP Imputed Cost .....            $4,223,618
                                                    CBP Imputed Cost ............              $1,405,065        We agree with the commenter that                               CBP and DHS Sup-
                                                    CBP and DHS Support                                                                                                            port Cost .................   $18,153,846
                                                                                                               clarification is necessary regarding the                         Amount Paid through
                                                      Cost ...............................      $5,326,912     definition of a crew member on duty.
                                                    Reserve Amount ...............              $1,488,571                                                                         Appropriation ..........      $31,838,590
                                                                                                               Therefore, we are amending the                                   Number of Tran-
                                                    Number of Passengers .....                  13,532,465
                                                    Calculated Unit Cost .........                   $1.64
                                                                                                               regulations to exempt from the sea                                  sponders Sold ........            108,995
                                                                                                               passenger AQI user fee ‘‘all vessel crew                         Calculated Unit Cost ..                  N/A



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                                                  66758             Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                    TABLE 8—COMMERCIAL TRUCK FEE                        are subject to inspection of both the                         fee from the $375 that we originally
                                                        CALCULATION—Continued                           trucks and their contents, and therefore                      proposed to $237 and phase it in over
                                                                                                        subject to the commercial truck fees. If                      a 5-year period. The fee will be set
                                                  FY 2011 data:                                         the contents of the shipment are                              initially at $47 and then rise to $95 in
                                                    Per crossing @ $7.55:                               required to undergo treatment to be                           the second year, $142 in the third, $190
                                                        APHIS AQI FTEs .......                      8.3
                                                        APHIS Total Cost ......             $1,204,362
                                                                                                        eligible for U.S. entry, then the                             in the fourth, and $237 in the fifth.
                                                        APHIS Imputed Cost                     $91,087 treatment fee would apply as well.                             APHIS recognizes that there are
                                                        APHIS and USDA                                                                                                additional costs for providing treatment
                                                                                                           Commercial Rail User Fees
                                                           Support Cost ..........            $488,231                                                                services during non-business hours.
                                                        CBP Total Cost ..........           $5,510,967       Although we did not receive any                          APHIS has determined that an equitable
                                                        CBP Imputed Cost .....                $398,917     comments regarding the new                                 fee would provide a flat fee for services
                                                        CBP and DHS Sup-                                   commercial rail AQI user fee, we are                       rendered during normal business hours,
                                                           port Cost .................      $1,742,792     providing a further breakdown of the                       and the normal fee plus overtime costs
                                                        Reserve Amount ........               $276,673     calculations leading to that user fee
                                                        Number of Trucks ......                931,391
                                                                                                                                                                      for services rendered after hours. A
                                                                                                           below in Table 9. That commercial rail                     breakdown of the calculations leading to
                                                        Calculated Unit Cost ..                  $7.21
                                                    Transponder @ $301.67                                  fee remains the same as we proposed in                     the new treatment AQI user fee is
                                                        APHIS AQI FTEs .......                   74.7      the April 2014 proposed rule.                              shown below in Table 10.
                                                        APHIS Total Cost ......           $12,177,737
                                                        APHIS Imputed Cost                   $920,996            TABLE 9—COMMERCIAL RAIL FEE                                   TABLE 10—TREATMENT FEE
                                                        APHIS and USDA                                                   CALCULATION                                                 CALCULATION
                                                           Support Cost ..........           $488,231
                                                        CBP Total Cost ..........         $55,709,551
                                                                                                                        Commercial Rail Fee $2.00                                    Treatment Fee $47.00 *
                                                        CBP Imputed Cost .....             $4,033,489
                                                        CBP and DHS Sup-
                                                                                                           FY 2010 data:                                              FY 2010 data:
                                                           port Cost .................    $17,621,560
                                                                                                             APHIS AQI FTEs ..............                        5     APHIS AQI FTEs ..............                     82
                                                        Amount Paid through
                                                                                                             APHIS Total Cost ..............             $2,745,539     APHIS Total Cost ..............           $8,596,204
                                                           Appropriation ..........       $35,006,766
                                                                                                             APHIS Imputed Cost .........                  $204,796     APHIS Imputed Cost .........                $605,763
                                                        Number of Tran-
                                                                                                             APHIS and USDA Support                                     APHIS and USDA Support
                                                           sponders sold .........             108,995
                                                                                                               Cost ...............................       $281,810        Cost ...............................      $918,924
                                                        Calculated Unit Cost ..                    N/A
                                                  FY 2012 data:                                              CBP Total Cost .................            $3,860,112     CBP Total Cost .................                 N/A
                                                    Per crossing @ $7.55:                                    CBP Imputed Cost ............                 $317,174     CBP Imputed Cost ............                    N/A
                                                        APHIS AQI FTEs .......                      8.3      CBP and DHS Support                                        CBP and DHS Support
                                                        APHIS Total Cost ......             $1,291,233         Cost ...............................      $1,380,312       Cost ...............................           N/A
                                                        APHIS Imputed Cost                     $95,921       Reserve Amount ...............             $¥1,168,901     Reserve Amount ...............           $¥6,815,750
                                                        APHIS and USDA                                       Number of Rail Cars .........                2,718,375     Number of Treatments ......                   37,882
                                                           Support Cost ..........             $64,961       Calculated Unit Cost .........                   $2.43     Calculated Unit Cost .........               $226.92
                                                        CBP Total Cost ..........           $6,029,614     FY 2011 data:
                                                        CBP Imputed Cost .....                $430,024       APHIS AQI FTEs ..............                        5                  Treatment Fee $95.00 *
                                                        CBP and DHS Sup-                                     APHIS Total Cost ..............             $1,122,289
                                                                                                             APHIS Imputed Cost .........                   $85,461   FY 2011 data:
                                                           port Cost .................      $1,891,285
                                                                                                             APHIS and USDA Support                                     APHIS AQI FTEs ..............                     80
                                                        Reserve Amount ........             $8,051,901
                                                                                                               Cost ...............................         $45,039     APHIS Total Cost ..............           $6,657,765
                                                        Number of Trucks ......              1,066,477
                                                                                                             CBP Total Cost .................            $5,983,503     APHIS Imputed Cost .........                $479,722
                                                        Calculated Unit Cost ..                  $7.63
                                                                                                             CBP Imputed Cost ............                 $317,650     APHIS and USDA Support
                                                  Transponder @ $301.67:
                                                                                                             CBP and DHS Support                                          Cost ...............................      $306,391
                                                        APHIS AQI FTEs .......                   74.7
                                                                                                               Cost ...............................      $1,402,576     CBP Total Cost .................                 N/A
                                                        APHIS Total Cost ......           $13,055,804
                                                                                                             Reserve Amount ...............             $¥1,281,372     CBP Imputed Cost ............                    N/A
                                                        APHIS Imputed Cost                   $969,871
                                                                                                             Number of Rail Cars .........                2,912,210     CBP and DHS Support
                                                        APHIS and USDA
                                                                                                             Calculated Unit Cost .........                   $2.44       Cost ...............................           N/A
                                                           Support Cost ..........           $654,099
                                                                                                           FY 2012 data:                                                Reserve Amount ...............           $¥3,058,975
                                                        CBP Total Cost ..........         $60,966,102
                                                                                                             APHIS AQI FTEs ..............                        5     Number of Treatments ......                   29,713
                                                        CBP Imputed Cost .....             $4,348,022
                                                                                                             APHIS Total Cost ..............             $1,147,199     Calculated Unit Cost .........              $ 226.92
                                                        CBP and DHS Sup-
                                                           port Cost .................    $19,122,988        APHIS Imputed Cost .........                   $85,432
                                                                                                             APHIS and USDA Support                                                 Treatment Fee $142.00 *
                                                        Amount Paid through
                                                           Appropriation ..........       $40,684,656          Cost ...............................         $57,455
                                                                                                                                                                      FY 2012 data:
                                                        Number of Tran-                                      CBP Total Cost .................            $5,765,358
                                                                                                                                                                        APHIS AQI FTEs ..............                  79.61
                                                           sponders Sold ........              110,509       CBP Imputed Cost ............                 $412,247
                                                                                                                                                                        APHIS Total Cost ..............           $5,915,416
                                                        Calculated Unit Cost ..                    N/A       CBP and DHS Support
                                                                                                                                                                        APHIS Imputed Cost .........                $512,688
                                                                                                               Cost ...............................      $1,810,754
                                                                                                                                                                        APHIS and USDA Support
                                                    One commenter asked for further                          Reserve Amount ...............              $¥452,233
                                                                                                                                                                          Cost ...............................      $344,521
                                                  clarification of wording in the final rule                 Number of Rail Cars .........                3,230,167
                                                                                                                                                                        CBP Total Cost .................                 N/A
                                                  to make it clear that inspections of                       Calculated Unit Cost .........                   $2.14
                                                                                                                                                                        CBP Imputed Cost ............                    N/A
                                                  commodities that are imported under                                                                                   CBP and DHS Support
                                                  existing phytosanitary agreements                        Treatment User Fees                                            Cost ...............................          N/A
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  would be considered commercial truck                        Many commenters expressed concern                         Reserve Amount ...............            $¥536,172
                                                                                                                                                                        Number of Treatments ......                  38,517
                                                  inspections and would be subject to the                  regarding a perceived lack of
                                                                                                                                                                        Calculated Unit Cost .........              $285.92
                                                  commercial truck fee rather than the                     transparency in how APHIS calculated
                                                  proposed new treatment fee.                              the new cost category for treatments and                      * Table 10 shows how APHIS derived the
                                                    Any inspection undertaken after the                    lack of rationale for establishing the                     treatment user fee for the first 3 years of the
                                                  new AQI user fees become effective                                                                                  5-year implementation period.
                                                                                                           $375 treatment fee level.
                                                  would be subject to all applicable fees.                    As discussed in greater detail below,                     APHIS used the actual data to analyze
                                                  Commercial trucks crossing the border                    we have decided to lower the treatment                     the potential fee rates. We then applied


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                        66759

                                                  inflationary factors for those years that               States and monitored by an APHIS                      (dated May 21, 2012), along with the
                                                  would be impacted by the fees in order                  inspector.                                            proposed rule to help clarify APHIS’
                                                  to determine the correct fee amount,                       One commenter asked whether the                    costing methodology. Two commenters
                                                  initially using the rounding method to                  treatment fees also apply to oversight                expressed concern that the documents
                                                  ensure proper reserve funding. As noted                 provided by APHIS for fumigations on                  were not peer reviewed or reviewed by
                                                  above, in this final rule, APHIS has used               commodities exported from the United                  the USDA’s Chief Economist and that
                                                  a different method to calculate the                     States that require a phytosanitary                   APHIS failed to seek public comment on
                                                  reserve amounts, applying a flat 3.5                    certificate.                                          either the documents or the models that
                                                  percent increase above the unit cost of                    Treatment services provided to                     form the basis of the change in
                                                  providing AQI services to fund the AQI                  facilitate export of U.S. commodities to              implementation of the AQI user fee
                                                  reserve.                                                foreign countries are not part of the                 program.
                                                     Stakeholders can use the methodology                 calculated fee schedules. Exporters of                   The documents provided by Grant
                                                  present in these tables by referring the                U.S. commodities are charged a separate               Thornton, which were made available
                                                  projected total activity cost and                       fee for export certification.                         along with the proposed rule for public
                                                  projected counts of activities to replicate                                                                   review and comment, were to advise
                                                  the data found in this table.                           Stakeholder Input and Peer Review                     APHIS and CBP on decisionmaking
                                                     One commenter stated that while                         Several commenters stated that the                 only. These were information-gathering
                                                  APHIS indicates that there are certain                  process to develop the proposed rule                  documents used to help inform APHIS’
                                                  activities related to the proposed new                  was not transparent because APHIS                     decisionmaking and, as such, were not
                                                  treatment fee, the exact components of                  failed to provide and share data and                  required to be peer-reviewed. The
                                                  conducting and monitoring treatments                    information used in developing the                    documents led to detailed policy
                                                  that warrant a $375 fee are unclear. The                proposed rule with affected                           discussions that took place at the
                                                  commenter asked that APHIS clarify                      stakeholders prior to the proposal’s                  Agency and Department levels with
                                                  specific elements incorporated into the                 publication. The commenters referred to               both APHIS and CBP. USDA and the
                                                  calculation of the treatment fee level                  Executive Order 13563, which requires                 OMB reviewed the proposed rule and
                                                  and the costs associated with each                      regulatory agencies to seek out public                the RIA. Several meetings and briefings
                                                  component.                                              participation in rulemaking, including                that included Department and OMB
                                                     As we have noted, in this final rule,                affected stakeholders.                                personnel took place on several
                                                  we are lowering the treatment fee to                       Executive Order 13563 requires that                occasions, and discussions included
                                                  $237. APHIS will phase this fee in over                 regulatory agencies adopt regulations                 issues such as fee alternatives,
                                                  a 5-year period. APHIS prescribes                       through a process involving public                    methodologies employed by Grant
                                                  different types of treatments for pests of              participation. To this end, APHIS held                Thornton, and work the contractor did
                                                  quarantine significance when found                      several stakeholder briefings to keep                 to support the economic analysis. The
                                                  upon inspection or for commodities that                 stakeholders informed during the                      final decisions were well-informed,
                                                  present high risk. There are various                    evaluation of our user fee program and                including reviews that included GAO.
                                                  approved chemical treatments:                           the development of the new user fees:                 Overtime
                                                  Fumigants, dips, and sprays. The                           • September 9, 2011—Stakeholder
                                                  fumigants include methyl bromide,                       Briefing: APHIS/Grant Thornton                          Several commenters requested that
                                                  phosphine, and sulfuryl fluoride. Non-                  presented the preliminary findings from               detailed information be provided on
                                                  chemical treatments include cold                        the AQI user fee review;                              how much revenue overtime services
                                                  treatment, hot water immersion, vapor                      • May 1, 2013—Stakeholder Briefing:                generate and how CBP determines
                                                  heat treatment, steam sterilization, and                APHIS/Grant Thornton presented costs                  which officers fall into the overtime
                                                  irradiation. All the treatment types                    to deliver AQI services and factors that              category. The commenters asked why
                                                  require specific methods and                            drive costs;                                          Sundays have a higher overtime rate
                                                  monitoring by APHIS personnel. APHIS                       • April 22, 2014—APHIS announced                   than other days.
                                                  determines the necessary resources                      proposed adjustments to AQI user fees;                  CBP revenue overtime services
                                                  (FTEs) put forth toward the treatment                      • May 29, 2014—Stakeholder Briefing                generated through the end of the month
                                                  fee activity. This enables the ABC model                (two webinars): APHIS presented                       of July (for 2014) totaled $379,506.82 for
                                                  to accurately assign costs to the                       proposed adjustments to AQI user fees;                the Agriculture Reimbursable Overtime
                                                  treatments. This cost is then divided by                and                                                   and $19,525.50 for the Wood Inspection
                                                  the number of treatments that the                          • July 9, 2014—Stakeholder Briefing                Reimbursable Overtime. CBP utilizes
                                                  APHIS personnel conduct or monitor.                     (webinar): APHIS presented proposed                   the National Treasury Employees Union
                                                     One commenter stated that some                       adjustments to AQI user fees.                         (NTEU)/CBP collective bargaining
                                                  commodities require treatment, such as                     Invitations to all of the 2014 events              agreement contract for employees in
                                                  cold treatment or fumigation, as a                      were distributed via the APHIS                        determining employee eligibility and
                                                  condition of entry into the United                      stakeholder registry and via direct                   overtime assignment. In general,
                                                  States. The commenter suggested that,                   email. The last email invitation was sent             overtime assignments are based on the
                                                  rather than assessing an additional fee                 on June 27, 2014, to 11,164 unique                    lowest earner and availability of
                                                  for those commodities already treated                   subscribers.                                          personnel. CBP officers are paid under
                                                  prior to arrival at the U.S. port of entry,                In addition, APHIS provided the                    the authority of the Customs Officer Pay
                                                  such commodities should only be                         opportunity for comment on the                        Reform Act (19 U.S.C. 267, as amended).
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                                                  subject to the treatment fee if a                       proposed rule for 60 days, which was                  Under that authority, customs officers
                                                  quarantine pest is found at the port of                 then extended another 30 days to allow                are entitled to 1.5 times the rate of their
                                                  entry necessitating additional treatment                for additional public comment.                        base pay for Sunday work if Sunday is
                                                  and direct supervision by APHIS.                           APHIS provided two documents, ‘‘Fee                one of their regularly scheduled work
                                                     The fee will be charged as the                       Setting Process Documentation and                     days. Customs officers whose regular
                                                  commenter suggests. Entities will be                    Recommendation’’ (dated October 25,                   work days are Sundays who work in
                                                  assessed the fee only if treatment is                   2011), and ‘‘AQI Fee Schedule                         excess of 8 hours on a Sunday are
                                                  required and is performed in the United                 Assessments and Alternatives, Revised’’               entitled to 2 times their base pay for that


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                                                  66760            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  day’s work, but are not eligible to                        APHIS and CBP maintain ABC                         United States. This approach is a key
                                                  receive Sunday premium pay                              models that accurately assign costs for               part of CBP’s layered security strategy to
                                                  differentials. The Sunday overtime rate                 activities related to each fee area. The              protect the homeland by extending U.S.
                                                  is higher for APHIS officers than for                   basis for distribution of AQI user fees               borders outward to identify and mitigate
                                                  other days of the week because our                      between APHIS and CBP is the cost to                  threats, interdict possible terrorists,
                                                  officers are paid a higher rate for their               each agency of performing the AQI                     criminals, and suspect cargo before they
                                                  work time on Sundays. Because our fees                  functions covered by a particular fee.                can board or be loaded on a conveyance
                                                  were developed to cover the full cost of                Section 421(f) of the Homeland Security               destined for the United States. Through
                                                  inspections, including employee                         Act of 2002 mandates that CBP and                     use of targeting, CBP decreases costs,
                                                  salaries, the Sunday fees are                           USDA agree on a periodic transfer of                  including AQI user fee costs, by
                                                  correspondingly higher. APHIS and CBP                   funds from the latter to the former. In               identifying low-risk and high-risk
                                                  do not factor reimbursable overtime fees                FY 2013, CBP received $366 million                    travelers and shipments prior to their
                                                  into the costs of the AQI user fees.                    from AQI user fees. APHIS collects fees               presentation at a U.S. port of entry for
                                                  Reimbursable costs are charged                          to recover the costs of providing                     admission.
                                                  separately from the user fee.                           inspection activities for international                  Since 2009, we have seen growth in
                                                     As stated in the proposed rule, we                   arrivals of passengers, conveyances,                  both trade and travel leading to an
                                                  used the ABC methodology to determine                   animals, plants, and agricultural goods               increase in passenger and cargo
                                                  the cost of AQI activities and their                    at ports of entry. AQI fees reimburse the             volumes. Total passenger volume in FY
                                                  associated outputs and services. One                    costs of CBP Agriculture Specialists,                 2013 was 6.4 percent higher than in FY
                                                  commenter expressed concern regarding                   CBP officers performing agriculture                   2011, and non-immigrant arrivals
                                                  a perceived lack of clarity regarding the               inspection services, and support costs.               during the same period increased by
                                                  alignment of the proposed fee schedule                  In FY 2013, the revenues from the                     nearly 9 percent. Total import value in
                                                  with the increase in overtime rates that                current fee levels covered 80 percent of              FY 2013 was nearly 5 percent higher
                                                  was concurrently proposed. The                          CBP’s costs incurred providing                        than FY 2011. Based on available
                                                  commenter stated that, before either                    inspection activities associated with the             industry and government data, we
                                                  proposal moves forward, APHIS must                      passengers and conveyances that are                   expect these trends to continue and
                                                  document, for public review, the                        subject to fees.                                      estimate that total air passenger volume
                                                  cumulative effect of these increases.                      CBP will receive the collections                   for FY 2015 will increase 4 percent
                                                     In calculating the flat treatment fee for            provided by the rate adjustments for                  (approximately 3.7 million air
                                                  the proposed rule, we did initially factor              maintaining the existing operations of                passengers) at the top 10 U.S. airports
                                                  in the overtime component to arrive at                  agricultural inspection functions. A                  when compared to FY 2012 data.
                                                  the figure of $375. We did not anticipate               small portion of the collections will                 Because the conveyance fees cover the
                                                  charging overtime fees in addition to                   fund treatment functions performed by                 inspection costs of the cargo during the
                                                  that flat fee. Because the required RIA                 APHIS. In addition, APHIS will                        normal tour of duty of our employees,
                                                  accompanying the proposed rule was                      maintain a small balance, i.e., ‘‘reserve,’’          increases in cargo volumes necessitate
                                                  based on that original proposed fee of                  of user fee funds to cover costs during               increases in the conveyance fees to
                                                  $375, the analysis did examine the full                 collection lag periods and for                        recover these expanded cargo inspection
                                                  economic impact of the new fee,                         unanticipated changes in volumes and                  costs. Note that the costs of inspection
                                                  including the overtime component.                       potential bad debt costs. As stated                   of cargo occurring outside the normal
                                                     In this final rule, we are removing the              previously, the FACT Act authorizes                   tour of duty of our employees are
                                                  overtime component from the flat fee,                   APHIS to maintain a reasonable balance                recovered separately through
                                                  thus lowering the flat fee to $237. This                in the AQI account.                                   reimbursable overtime collections, costs
                                                  fee will be phased in over a 5-year                        One commenter pointed out that the                 not included in the AQI fees. The $7
                                                  period. The difference between the                      ‘‘AQI Cost Analysis’’ section of the                  million listed as 2014 NTC costs
                                                  proposed fee and the final $237 fee is                  proposed rule lists the National                      represent that portion of NTC that
                                                  $138. This difference represents the                    Targeting Center (NTC) as a CBP                       relates specifically to AQI activities on
                                                  costs that are projected to be recovered                initiative, implemented since 2011, that              imports.
                                                  through charging for reimbursable                       is contributing to the necessity to raise                Two commenters stated that APHIS
                                                  overtime. When treatment-related AQI                    user fees. However, the commenter                     should address several issues identified
                                                  services are applied outside of normal                  stated that, since the NTC has been in                during review of the AQI program, such
                                                  business hours, both the flat fee and                   existence for over 10 years, it is not a              as inconsistent data between APHIS and
                                                  overtime charges will apply. This                       new initiative and asked why the costs                CBP. One commenter stated that it is not
                                                  manner of assessing these fees is                       of the NTC have led to the need to raise              acceptable for APHIS to raise user fees
                                                  consistent with the way we assess our                   AQI fees now. The commenter stated                    without addressing its own internal
                                                  other AQI user fees. APHIS can identify                 that Table 3 of the proposed rule lists               issues and communication with CBP. A
                                                  the amount of reimbursable overtime                     over $7 million in 2014 NTC costs that                second commenter stated that, with
                                                  attributed to AQI treatments based upon                 were factored into the AQI Cost                       additional funds generated by the user
                                                  the accounting attributes in the financial              Analysis and asked whether this                       fees, APHIS should have the resources
                                                  system. We will also continually review                 amount represents the entire cost of the              necessary to address these issues.
                                                  our business practices in relation to our               NTC or if it is only for some portion                    APHIS and CBP identified the correct
                                                  treatment operations with the goal of                   related to AQI activities.                            data to use in the model and eliminated
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                                                  reducing our costs and thereby reducing                    To expedite the processing of                      the identified inconsistencies. Issues
                                                  the fees.                                               travelers and cargo, CBP officers deploy              such as these in a very large operation
                                                                                                          pre-departure screening through a                     are continuous in nature as the activities
                                                  APHIS/CBP Partnership                                   variety of programs and activities. The               change, new systems become available,
                                                    One commenter expressed concern                       NTC, in particular, screens relevant                  priorities change, or new demands for
                                                  regarding how much AQI user fees                        traveler and cargo information,                       information arise. The data is relevant
                                                  would go to APHIS compared to the                       including the examination of manifest                 and it is part of official government
                                                  amount kept by CBP.                                     data, prior to their admission into the               systems. APHIS and CBP are


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                       66761

                                                  continually working together to enhance                 by using lower-salary-grade employees                 we propose user fee increases so that the
                                                  data collection. In addition, CBP will                  to perform certain tasks when doing so                fees will keep up with inflationary costs
                                                  continue the implementation of the                      would not compromise effectiveness,                   as well as any new expenses, and
                                                  business transformation initiative of the               and implementing shift work to reduce                 propose user fee decreases when
                                                  International Trade Data System (ITDS).                 our overtime costs. The use of X-ray                  efficiencies are implemented.
                                                  CBP will use ITDS to report data for the                technology, the Internet, online                         One commenter stated that APHIS
                                                  importation and disposition of arriving                 databases, and specially trained detector             should develop specific accounting
                                                  and transiting fresh fruits and vegetables              dogs has helped make our inspection                   processes in order to ensure that the
                                                  cleared at ports of entry. The source-                  and clearance processes more efficient.               increased fees are properly collected
                                                  verifiable data provided by the trade                   Nevertheless, the costs of providing AQI              and that such fees remain appropriate
                                                  prior to arrival will result in increased               services do rise from year to year due to             related to modifications in agency
                                                  accuracy and simplified data entry.                     inflation and staffing increases. The                 activity. The commenter further stated
                                                  ITDS will allow for the elimination of                  proposed user fee increases will enable               that specific details should be provided
                                                  duplicative data entry and will                         us to recover the full costs of                       regarding the anticipated improvements
                                                  significantly reduce the overall amount                 maintaining the AQI program. We                       in clearance and efficiency at the
                                                  of time currently spent by CBP                          welcome the submission of information                 borders related to the fee increase so
                                                  agriculture specialists or CBP officers                 at any time that would help us contain                that overall effectiveness can be easily
                                                  entering data. The agencies will not                    costs or enhance our efficiency.                      monitored.
                                                  fund through AQI user fees those                           One commenter asked to see the                        APHIS and CBP continue to invest in
                                                  activities that are not associated with                 computations that show how APHIS                      resources that will improve our
                                                  AQI services.                                           initiatives to increase efficiencies and              customer services and ability to
                                                                                                          overall effectiveness to save cost and                safeguard American agriculture.
                                                  Cost Savings Measures                                   time work to offset any increase in costs
                                                     One commenter requested that APHIS                                                                         However, we have determined that
                                                                                                          as a result of increased AQI
                                                  provide an analysis of the cost savings                                                                       revised user fees are necessary to
                                                                                                          expenditures. As an example, the
                                                  achieved when one agent, typically a                                                                          recover the costs of the current level of
                                                                                                          commenter pointed out that the
                                                  CBP officer, provides inspection                                                                              activity, to account for increases in the
                                                                                                          proposed rule states that the
                                                  services for AQI, customs clearance, and                                                                      cost of doing business, and to improve
                                                                                                          development of new treatment
                                                  immigration processing. The commenter                                                                         how fees align with the costs associated
                                                                                                          techniques will save time and costs, but
                                                  stated that such a review should be                                                                           with each fee service. In FY 1992,
                                                                                                          Table 3 within the proposal appears to
                                                  undertaken to ensure that cost savings                                                                        APHIS established accounting
                                                                                                          show a continued annual increase in
                                                  achieved by sharing employee resources                                                                        procedures to segregate AQI user fee
                                                                                                          costs. The commenter asked for an
                                                  are passed along to the fee-paying users                                                                      program costs from all other costs. We
                                                                                                          explanation of this apparent disparity.
                                                  in the form of fee reductions or                           APHIS PPQ has recently realigned its               published a detailed description of
                                                  exemptions.                                             core functional areas into three                      these procedures in the Federal Register
                                                     The ABC analysis relied on actual                    components: Policy Management, Field                  on December 31, 1992 (57 FR 62469–
                                                  personnel expenses to identify the                      Operations, and Science and                           62471, Docket No. 92–148–1), as part of
                                                  staffing cost for border stations of all                Technology. By realigning this way, we                an interim rule amending some of our
                                                  sizes. CBP costs in support of the AQI                  were able to eliminate many                           user fees. APHIS maintains all AQI fees
                                                  mission include training and technical                  redundancies within different units and               we collect in distinct accounts, carefully
                                                  advice to CBP officers and other CBP                    keep our AQI budget static while doing                monitors the balances in these accounts,
                                                  personnel on regulatory requirements                    more AQI work. For example, plant                     and only uses these funds to pay for our
                                                  pertaining to compliance with                           inspection station management is                      actual costs for providing these distinct
                                                  agricultural regulations and the                        handled by Field Operations. By having                services. In addition to the ABC analysis
                                                  processing of passengers with regard to                 Field Operations handle management of                 to develop the proposed user fee
                                                  compliance with agriculture regulations,                what is essentially an operational                    schedule, one of the objectives of the
                                                  primarily at low volume ports of entry                  program, we are better able to collect                Grant Thornton contract was to create a
                                                  in the passenger environment. In the                    data via a risk-based sampling method,                method that was repeatable. We are
                                                  absence of a CBP Agriculture Specialist,                which will help inform future                         currently updating the ABC model
                                                  CBP and APHIS have consistently                         inspection rates of commodity-country                 annually with cost and activity data so
                                                  committed to ensuring that CBP officers                 combinations. In Policy Management,                   that we can monitor, measure, and
                                                  have been provided with the knowledge                   we were able to better centralize                     model for management and
                                                  and information needed to identify                      management structures of AQI policy,                  decisionmaking.
                                                  possible pest risks and to make the                     enabling us to get information to CBP                 Additional Comments
                                                  appropriate decision to mitigate that                   more quickly than before our
                                                  pest risk. Therefore, the cost savings                  reorganization.                                         Three commenters asked APHIS to
                                                  realized by lower staffing levels at some                  As APHIS assesses its user fees,                   make public its current and historic
                                                  border crossings is somewhat offset by                  volumes, collections, and ongoing                     reserve levels by user class.
                                                  the expense of additional training                      reserve balances, it will initiate                      The AQI reserve levels by user fee
                                                  needed by those officers.                               rulemaking to increase or decrease the                category for FY 2010 through 2012 are
                                                     One commenter stated that no                         fees as necessary. We review our fees on              provided in Tables 1, 4, 6, 7, 8, 9, and
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                                                  analysis was made to see if cost savings                a biennial basis to ensure that the fees              10. Grant Thornton used the ABC
                                                  could be achieved through more                          charged are commensurate with the                     method to develop fees and inform
                                                  efficient operations.                                   costs of inspection and inspection-                   APHIS decisionmaking. Grant Thornton
                                                     We are constantly working to improve                 related activities and, if necessary,                 developed the ABC data through time-
                                                  our efficiency and cut costs. For                       undertake rulemaking to amend them.                   sensitive surveys to determine current
                                                  example, we have taken steps to reduce                  We will adjust a fee up or down, as                   and forecast future program costs and
                                                  our personnel-related expenditures,                     appropriate, depending on the actual                  revenue recovery potential of fee
                                                  thereby reducing the costs of inspection,               cost of providing services. In most cases,            schedules. Prior to Grant Thornton’s


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                                                  66762            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  ABC model, APHIS did not use the fee                    officer’s daily work is consistent with               It can be viewed by visiting the link
                                                  classes to track historical reserve levels.             that of individuals working at the GS–                listed in footnote 1.
                                                     The fees established in this final rule              12 level. The work factors that merit the                Several commenters noted in the
                                                  will align funds collected through user                 salary increase include the wide variety              proposed rule that APHIS ‘‘rounds up’’
                                                  fees and the AQI reserve with the actual                of laws that are enforced, a shift to                 projected costs by user by either $1 or
                                                  cost of safeguarding activities performed               proactive, intelligence-driven work                   $25 in setting AQI fee levels. The
                                                  by the agencies.                                        using sophisticated technology and                    commenters stated that the legal
                                                     Two commenters asked for a                           infrastructure, increased violence at the             justifications for this rounding-up are
                                                  description of how APHIS ensures that                   borders and focus on terrorist activities,            not evident and needs to be explained
                                                  reserve funds collected from                            and work with other law enforcement                   fully.
                                                  commercial aircraft passengers and for                  agencies and enforcement-related                         As previously mentioned, the FACT
                                                  commercial aircraft inspections are                     activities.                                           Act authorizes the Secretary of
                                                  spent only on inspections of passengers                   One commenter asked APHIS to list,                  Agriculture to prescribe and collect fees
                                                  and aircraft, respectively, in subsequent               by AQI user fee category, any costs paid              to cover the cost of providing the AQI
                                                  years.                                                  by AQI user fees that are also paid                   services covered in the proposed rule.
                                                     As noted above, Grant Thornton                       through appropriations.                               This authority provides that the funds
                                                  developed the ABC data through time-                      No costs that are paid for by user fees             collected will be available until
                                                  sensitive surveys to determine current                  are also paid for using APHIS                         expended. GAO states in its Federal
                                                  and forecast future program costs and                   appropriations, nor will they be as a                 User Fee Design guide that ‘‘with
                                                  revenue recovery potential of fee                       result of this rule.                                  permanent authority, funds are available
                                                  schedules. This forecasting will ensure                   On May 1, 2013, APHIS held a                        until expended, which enables agencies
                                                  that reserve funds are collected and                    stakeholder meeting to discuss AQI                    to carry forward unexpended collections
                                                  spent only on inspections related to the                program costs. Two commenters asked                   to subsequent years and match fee
                                                  relevant class of user. APHIS did not                   that APHIS describe the data sources                  collections to average program costs
                                                  use the fee classes to track historical                 underlying the 2010 AQI program study,                over more than 1 year.’’ This enables
                                                  reserve levels, and the retroactive                     including defining the following terms                agencies to carry forward unexpended
                                                  application of the ABC method analysis                  referred to in the stakeholder meeting:               collections to subsequent years in a
                                                  is not a valid use of the data.                         AQI program costs, APHIS support, cost                reserve fund and match fee collections
                                                     Several commenters stated that                       by activity from the CBP cost model,                  to average program costs over more than
                                                  APHIS should justify the timing of                      APHIS workforce labor survey, and                     1 year. AQI policy is to maintain a 3- to
                                                  apparent salary increases that increase                 workload data for outputs and drivers                 5-month reserve, but when the AQI fee
                                                  proposed fees. Specifically, one                        (Operations Management Recording                      study was conducted, that reserve had
                                                  commenter noted that anticipated salary                 (OMR), Pest ID, Work Accomplishment                   been significantly diminished due to the
                                                  increases for the CBP journeyman                        Data System (WADS)). The commenters                   economic downturn. As a result, one of
                                                  officers would add $40 million to                       asked that the briefing document                      the requirements of the fee study was to
                                                  baseline costs.                                         discussed during the meeting be                       allow for the replenishment of the AQI
                                                     Salary increases are set by law,                     included in the docket.                               fund reserve. To do so, we rounded the
                                                  Department leadership, or collective                      AQI program costs are the costs                     projected unit cost to collect additional
                                                  bargaining agreements. When provided,                   incurred by APHIS and CBP to provide                  revenue for the reserve. While there is
                                                  cost of living increases for government                 inspection and other services that                    no specific guidance regarding rounding
                                                  employees take effect at the beginning of               prevent the introduction of harmful                   up for fees, it is a common practice
                                                  each calendar year. The timing of salary                plant pests and animal diseases.                      when setting fees, especially for
                                                  increases is in no way related to the                     APHIS support costs encompass both                  programs that maintain a reserve, but
                                                  proposed rates. APHIS and CBP forecast                  Agency administrative support and                     also for administrative simplicity.
                                                  known increases based upon Federal                      program support functions. The ABC                       In this final rule, however, we did not
                                                  Government forecast guidance issued by                  model used by CBP has costs by                        use the rounding method described
                                                  OMB, and by known salary increases                      activities tracked by expenditures.                   above to fund the reserve. APHIS has
                                                  that would be in place at the time that                 APHIS used a workforce labor survey to                applied a 3.5 percent increase above the
                                                  the user fee rule was finalized.                        generate data comparable to the CBP                   unit cost of providing AQI services in
                                                     Further, APHIS and CBP do not                        ABC model. A workforce labor survey is                order to fund the AQI reserve. The new
                                                  coordinate employee compensation                        a method of collecting information on                 fees, other than those for commercial
                                                  levels and the agencies did not increase                the level of effort that an organization              aircraft, commercial cargo vessels, and
                                                  salaries to inflate AQI user fee costs.                 expends in a set of activities such that              commercial cargo railcars, include a 3.5
                                                  OPM issued a revised GS–1800                            labor costs found in a financial system               percent increase for replenishment of
                                                  Inspections, Investigation, Enforcement                 can be allocated to the activities of an              the reserve. For these three fee classes,
                                                  and Compliance Standard for CBP                         organization. The ABC model collects                  a 3.5 percent increase would raise the
                                                  officers and Border Patrol agents during                costs into cost pools and uses workload               new fees above their proposed levels. In
                                                  April 2011. The new standard provides                   data to drive the costs to the fee classes.           this final rule, these three fees are kept
                                                  detailed descriptions based on the                      Workload data for outputs and cost                    at their proposed levels, and therefore
                                                  audits and interviews that the OPM                      drivers are data used to establish a cause            will provide smaller shares of their
                                                  position classifiers learned from on-site               and effect relationship between an                    revenue to the reserve replenishment.
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                                                  visits to field locations and operational               organization’s activities and what it                    APHIS’ analysis of methods of
                                                  and human resources staffs. CBP also                    produces. The workload data enables an                providing sufficient revenue to include
                                                  conducted a rigorous review of the work                 organization to allocate the costs of its             a reasonable reserve identified 3.5
                                                  responsibilities and expectations of                    activities to what it produces. The                   percent as a level that provides for
                                                  frontline personnel that have                           document referred to by the commenter                 funding the reserve while minimizing
                                                  continuously increased since CBP                        was made available alongside the                      the impact on the payers of the fees to
                                                  became the principal border control                     proposed rule and therefore is already                the greatest extent possible. APHIS
                                                  agency. OPM and CBP found that the                      included as part of the official docket.              further believes that using a flat rate of


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                                                                        Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                                                      66763

                                                  3.5 percent without raising any fees                                    each class of user for FY 2013 are listed                    activity costs are not included in the
                                                  above those originally proposed meets                                   below in Table 11. The number of CBP                         calculation of the treatment fee.
                                                  the needs and expectations of both the                                  FTEs dedicated to each class of user for
                                                  Federal Government and of those who                                     FYs 2010 through 2013 is listed below                         TABLE 11—APHIS FULL-TIME EQUIVA-
                                                  pay the AQI fee.                                                        in Table 12. The number of CBP FTEs                            LENT EMPLOYEES (FTE) FOR FY
                                                    Several commenters asked for the                                      dedicated to sea passengers is not                             2013
                                                  number of FTEs, for both APHIS and                                      available as those user fee classes were
                                                  CBP, committed to each class of user for                                not tracked prior to the proposed rule.                      Commercial Aircraft ..................          289.96
                                                  FY 2010 to the present.                                                 CBP is not involved in treatment                             Commercial Rail .......................           5.42
                                                    The number of APHIS FTEs for FYs                                      activities that are covered under the                        Commercial Truck ....................            83.18
                                                  2010 through 2012 can be found in                                       treatment fee. CBP does oversee                              Commercial Vessel ...................           181.76
                                                                                                                                                                                       Commercial Vessel Passenger                       9.01
                                                  Tables 1, 4, 6, 7, 8, 9, and 10. The                                    disinfection activities for conveyances                      Treatments ................................      79.61
                                                  numbers of APHIS FTEs dedicated to                                      or equipment. However, disinfection

                                                                            TABLE 12—CBP FULL-TIME EQUIVALENT EMPLOYEES (FTE) FOR FY 2010 THROUGH 2013
                                                                                               User fee class                                                             2010           2011                    2012                2013

                                                  Air Passenger ..................................................................................................           1,412              1,403                  1,433            1,276
                                                  Commercial Aircraft .........................................................................................                265                276                    267              254
                                                  Commercial Rail ..............................................................................................                21                 25                     23               19
                                                  Commercial Truck ............................................................................................                330                314                    340              301
                                                  Commercial Vessel ..........................................................................................                 304                314                    269              284



                                                     On September 28, 2009, we published                                  burdensome. The proposed rule                                the current cost of specific AQI services
                                                  in the Federal Register (74 FR 49311–                                   represented our preferred alternative.                       supported by user fees. That review
                                                  49315, Docket No. APHIS–2009–0048),                                       Three commenters stated that APHIS                         determined that the AQI program was
                                                  an interim rule that amended the user                                   and CBP must provide more timely                             not recovering the full cost of its fee
                                                  fee regulations by adjusting the fees                                   invoices for all fees. The commenters                        services, including costs of
                                                  charged for certain AQI services that are                               stated that, when invoices are delayed,                      administering the user fee program and
                                                  provided in connection with certain                                     there is no guarantee that the local                         maintaining a reasonable reserve in the
                                                  commercial vessels, commercial trucks,                                  contact, such as a vessel agent, will be                     fee accounts. Some of this non-recovery
                                                  commercial railroad cars, commercial                                    able to collect the funds from the                           is due to the fact that most of the current
                                                  aircraft, and international airline                                     carrier, which means these agents can                        fees do not accurately reflect the current
                                                  passengers arriving at ports in the                                     be held liable for those costs. The                          full cost of the services related to those
                                                  customs territory of the United States.                                 commenters suggested that the                                fees. However, some of this non-
                                                  The rule was published to help recover                                  regulations be amended to stipulate that                     recovery is also due to prior APHIS
                                                  the costs of inspections and related                                    invoices will be provided within 30                          policy that capped fee collection for
                                                  support services, in response to the                                    days of performing AQI services.                             certain classes of commercial
                                                  economic downturn, as well as to                                          APHIS does not provide invoices.                           conveyances within a calendar year and
                                                  maintain a reasonable reserve balance.                                  Customers pay at the time of entry into                      that exempted certain classes of users
                                                  On November 4, 2009, we published in                                    the United States or when they purchase                      from fee collection. The adjustments to
                                                  the Federal Register (74 FR 57057,                                      an airline ticket or transponder. CBP                        the current AQI user fees are designed
                                                  Docket No. APHIS–2009–0048) a                                           provides a CBP Form 368 Collection                           to recover the full cost of providing AQI
                                                  document withdrawing the interim rule                                   Receipt at the time of the entrance of the                   services, commensurate with the class
                                                  prior to its effective date in order to                                 vessel with payment of the AQI user fee.                     of persons or entities paying the fees,
                                                  explore other regulatory alternatives.                                  Vessels are required to submit payment                       and are based on an analysis of our costs
                                                  One commenter asked what the results                                    receipts covering the current calendar                       for providing services in FYs 2010
                                                  were of that exploration, specifically                                  year at each port of call, with the cycle                    through 2012, as well as our best
                                                  whether the results were published and                                  recommencing the next calendar year.                         projections of what it will cost to
                                                  whether viable alternatives were                                        We do not provide invoices for aircraft                      provide these services in FYs 2015
                                                  available.                                                              clearance or arriving international air                      through 2017. The adjustments will also
                                                     The regulatory alternatives we                                       passenger fee collections either. Air                        allow us to maintain the AQI reserve
                                                  considered for revising the AQI user                                    carriers remit theses collections on an                      account. These user fee adjustments are
                                                  fees were described in the proposed rule                                honor basis in accordance with our                           necessary to recover the costs of the
                                                  as well as the supporting analysis                                      current regulations.                                         current level of activity, to account for
                                                  published along with the proposed rule                                    Several commenters asked whether                           actual and projected increases in the
                                                  entitled ‘‘AQI Fee Schedule Assessment                                  APHIS can demonstrate that it is                             cost of doing business, and to more
                                                  and Alternatives (May 21, 2012).’’ These                                currently collecting all the revenues it is                  accurately align fees with the costs
                                                  alternatives included several that were                                 entitled to receive through the AQI                          associated with each fee service.
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                                                  rejected because they either would not                                  program. The commenters stated that, if                         Two commenters asked for
                                                  meet the objective of better ensuring                                   there are shortcomings in internal                           confirmation that the reserves will be
                                                  that the fees paid by users in the various                              processes which result in lost revenues                      kept within the AQI user fee program
                                                  fee classes are commensurate with the                                   from some sources, other program fees                        and not used for any other APHIS
                                                  costs of the AQI services provided for                                  should not be increased to compensate.                       program. One commenter asked for
                                                  each class or because the transaction                                     As mentioned in the proposed rule,                         additional information regarding how
                                                  costs of creating and operating fee                                     APHIS recently conducted a                                   AQI user fee reserves are dispersed. The
                                                  collection systems would be overly                                      comprehensive fee review to determine                        commenter noted that the AQI reserve is


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                                                  66764            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  intended for use during periods of low                  heading ‘‘Executive Orders 12866 and                  persons or entities paying the fees. With
                                                  import flow, but asked for clarification                13563 and Regulatory Flexibility Act.’’               the exception of the treatment fee and
                                                  of what specifically constitutes a lower                   A few commenters stated that the                   cruise passenger fee, the fees in the
                                                  flow of imported products. One                          imposition of new user fees could set                 proposed rule are long-established fees,
                                                  commenter asked if there is a way for                   back the maritime industry’s slow                     and, as explained in the rules that
                                                  stakeholders to have input on when and                  recovery from the recession, particularly             established them, the fees are necessary
                                                  how the reserves are used and asked                     small and medium firms involved in the                for us to recover the costs of providing
                                                  whether the reserves will be carried                    trade of perishable goods throughout                  AQI services to the conveyances and
                                                  over from each fiscal year and be                       southern Florida. In particular, several              passengers to which they apply.
                                                  allowed to accumulate.                                  of these commenters stated that the fees              Similarly, for the reasons explained in
                                                     By law APHIS collects AQI fees to                    we proposed could cause economic                      the preamble to the April 2014 proposed
                                                  fund the AQI program. These funds may                   hardship on flower producers and the                  rule and in this document, we have
                                                  not be used to supplement or pay for                    cut flower industry.                                  determined that the new cruise
                                                  any program in APHIS or CBP that is                        A few commenters acknowledged that                 passenger and treatment fees are
                                                  not directly related to the AQI program.                user fee increases were necessary, but                necessary to recover the costs we incur
                                                  Any excess of user fee collections over                 opposed the magnitude of the increases                in connection with providing AQI
                                                  costs remains available from year to year               we proposed, citing concerns to small                 services to such passengers and cargo.
                                                  in a dedicated reserve account to be                    businesses involved in importation and                   Several commenters stated that the
                                                  used only to fund AQI and related                       transportation.                                       proposed fee for AQI treatment services
                                                                                                             Also, several commenters stated that               and the proposed increases in fees for
                                                  program costs. OMB actively monitors
                                                                                                          the fees we proposed will have a                      cargo vessel and aircraft inspections
                                                  AQI reserve levels keeping in mind our
                                                                                                          negative effect on trade relations                    will result in significant trade barriers
                                                  goal of maintaining a 90- to 150-day
                                                                                                          between Peru and the United States.                   for importers of perishable products
                                                  operating reserve. OMB provides
                                                                                                          They stated that the proposed fees affect             such as cut flowers and fresh produce.
                                                  oversight of the AQI funds and the                      jobs and consumers in the United States                  We have statutory obligations under
                                                  funded reserve. Low import flow occurs                  as well as in Peru and specifically noted             the Animal Health Protection Act and
                                                  when the number of imports diminishes                   that the Peruvian asparagus industry is               Plant Protection Act to prevent the
                                                  enough that we are unable to meet the                   connected with American consumers                     introduction or dissemination of animal
                                                  3- to 5-month reserve. As we have                       through a large chain of importers,                   and plant pests and diseases into the
                                                  noted, we have sought stakeholder input                 carriers, organizations, and retailers.               United States. When we consider a
                                                  throughout this rulemaking process and                     In addition, the Government of Chile               shipment of plants or plant products to
                                                  would do so again in any future                         expressed concern that the                            pose an unacceptable plant pest risk,
                                                  rulemaking involving AQI user fees.                     compounding effect of our proposed fee                whether because of a pest discovery at
                                                  Economic Impacts                                        increases for overtime services                       the port of arrival or otherwise,
                                                                                                          (contained in a separate proposed rule                phytosanitary treatment can allow the
                                                     Numerous commenters stated their                     published in the Federal Register on                  shipment to enter the United States. If
                                                  opposition to the proposed AQI user fee                 April 25, 2014 (79 FR 22887–22895,                    the shipment is not considered to pose
                                                  increases on the grounds that they                      Docket No. APHIS–2009–0047)), for                     an unacceptable plant pest risk, no
                                                  would create economic burdens on U.S.                   conveyances and for treatment will have               treatment is required and no fee for AQI
                                                  small businesses.                                       a negative effect on trade between Chile              treatment services will be incurred. AQI
                                                     The increases in AQI user fees have                  and the United States. Particular                     services, including those for overseeing
                                                  been methodically derived using                         concern was expressed about how the                   treatments, enable trade that would not
                                                  activity-based costing. With the rule,                  new treatment fee proposed in this                    be able to otherwise take place. The fee
                                                  AQI service recipients will pay fees that               rulemaking could disproportionately                   for AQI treatment services and the
                                                  more closely match the costs of                         affect Chile’s agricultural exports,                  increases in user fees for truck, cargo
                                                  providing those services. We do not                     because shipments of fresh fruits from                vessel, and aircraft inspections have
                                                  expect the AQI fee increases to create                  Chile are subject to fumigation                       been calculated using the ABC
                                                  significant economic burdens for a                      requirements.                                         methodology to ensure that the fees
                                                  substantial number of U.S. small                           As noted above, we are lowering the                collected, by class, are commensurate
                                                  businesses. The additional burden will                  treatment fee in this final rule from the             with the costs of the AQI services
                                                  vary by user fee class (mode of                         $375 originally proposed to $237 while                provided.
                                                  transportation) because the cost of                     we attempt to develop additional cost-                   One commenter stated that APHIS
                                                  providing the AQI services varies by                    cutting measures in our treatment                     should quantify benefits of inspections
                                                  class and each user fee class has its own               operations. APHIS will phase this fee in              with results and workload projections.
                                                  current fee deficit (or in the case of air              over a period of 5 years. This change                    The collection and analysis of data on
                                                  passengers and cargo railcars, fee                      will reduce the burden caused by the                  pest interceptions and workload trends
                                                  surplus). By user fee class, the burden                 introduction of the treatment fee on                  are mainstays of the AQI program. CBP
                                                  will be proportional to the extent to                   affected entities, including Chilean                  and APHIS use the data in numerous
                                                  which an entity is engaged in                           exporters. As we have already noted,                  ways to inform operational and staffing
                                                  transporting goods to the United States,                overtime fees will only apply to                      decisions and planning. As noted
                                                  that is, the cost to businesses that make               treatments conducted outside normal                   elsewhere in this rule, workload
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                                                  fewer entries at ports will be                          business hours. Under the FACT Act,                   projections were used in setting the AQI
                                                  proportionally less than the cost to                    the Secretary of Agriculture has the                  user fees. While that data is
                                                  businesses that make a greater number                   discretionary authority to prescribe and              indispensable for those purposes, our
                                                  of entries. Small businesses within each                collect user fees sufficient to cover the             RIA for this rule did not quantify, in an
                                                  class will not be disproportionately                    cost of providing AQI services. As                    economic sense, the benefits associated
                                                  impacted. We discuss the potential                      amended, the Act stipulates that the fees             with pest detections (as the avoided
                                                  impacts of the rule on small businesses                 be commensurate with the costs of AQI                 costs of a pest outbreak would be
                                                  later in this document, beneath the                     services, with respect to the class of                speculative) or workload projections.


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                        66765

                                                     A number of commenters pointed out                   possible, to ensure shipments are more                fee could increase the total price per-
                                                  that, in the preamble of the proposed                   likely to be free of actionable pests                 box of flowers by 200 percent, and that
                                                  rule, we cited the impact of the 2010                   before arrival at the U.S. port of entry.             the fee would have a severe economic
                                                  economic recession on AQI user fees                     We would also note that the downward                  impact on perishables imported through
                                                  collected. The commenters stated that                   adjustment of the treatment fee in this               South Florida.
                                                  levels of imports and exports have                      final rule will make the cost to                         The objective of fumigation and other
                                                  increased significantly since 2010, and                 importers lower and less burdensome.                  AQI treatments is to ensure that
                                                  asked whether there was still a basis for                  Some commenters stated that a phase-               agricultural goods and commodities
                                                  the rule given this increase in trade.                  in period would allow affected entities               entering the United States are free from
                                                  Similarly, another commenter stated                     to adjust to the new fees and prevent                 viable plant pests and noxious weeds
                                                  that the proposed fee raises are based on               disruption of trade. One such                         that would pose a risk to the health of
                                                  dated information, and that since the                   commenter noted that the proposed fees                the U.S. domestic agriculture and
                                                  time of the study, many inspection costs                for commercial aircraft, maritime                     natural resources. The AQI treatment fee
                                                  have gone down.                                         vessels, and trucks with and without                  is designed primarily to recover the
                                                     The 2010 recession decreased our AQI                 transponders include adjustments up to                costs of APHIS services for monitoring
                                                  fee reserve account. The account has                    three times current fees, which will                  fumigation and other types of treatment
                                                  been used to ensure the AQI program                     likely disrupt the movement of                        for pests to ensure it is conducted
                                                  continued to fully operate when there                   agricultural products because many                    properly. As we noted in the proposed
                                                  were instances in which the fees we                     smaller companies that ship agricultural              rule, no fees are currently collected by
                                                  assessed did not provide revenue                        products may have difficulty adjusting                APHIS for these services. Importers
                                                  sufficient to support the AQI services                  to such drastic fee increases. Many of                have been receiving, and benefitting
                                                  rendered. The recession underscored                     these commenters suggested a phase-in                 from, these services without paying a
                                                  the inefficiency of using the reserve to                period of 3 to 5 years.                               fee until now. Further, we have
                                                  recover ongoing AQI-related costs in                       While we recognize that for several of             attempted in this final rule to increase
                                                  such a manner, and highlighted the                      the classes of service users, the                     the equitability of the fee by charging a
                                                  need to charge user fees that ensure full               percentage increase in fees are sizable,              flat fee for services rendered during
                                                  cost recovery for those services,                       we emphasize that the proposed fee                    normal business hours, and the flat fee
                                                  especially in times of economic                         levels have been methodically                         plus an overtime charge for services
                                                  downturn. It also highlighted the need                  determined through the ABC                            rendered after normal business hours,
                                                  to ensure that all user fee schedules are               methodology to be the amounts needed,                 thereby adjusting the fee downward
                                                  set using a methodology that will result                by class, to cover the costs of the                   from that which we originally proposed.
                                                  in cost recovery for those services. The                services provided. The changes in fees                APHIS will phase this new fee in over
                                                  ABC method used to inform the fee                       are based on projected levels of AQI                  a period of 5 years.
                                                  schedules in the proposed rule is such                  services required and projected resource                 A commenter suggested that rather
                                                  a methodology. It is important to note                  costs of providing those services. APHIS              than charging a flat fee per treatment,
                                                  that AQI services increase when imports                 will phase in the new treatment fee in                APHIS could assess user fees more
                                                  increase. We have set our fees based                    order to reduce the impact on those                   equitably based on the number of pallets
                                                  upon the activity cost of the services                  firms that provide the service, and allow             in a shipment. By charging the flat
                                                  delivered. Revenue generated from the                   those firms receiving the treatment fee               treatment fee, while charging
                                                  fees will reflect the change in services                to adjust their price structure                       considerably less for the inspection of
                                                  delivered. In the economic short run,                   accordingly. A phase-in of all other                  trucks and railroad cars, APHIS,
                                                  the reserve may be used to support                      proposed changes would delay                          according to the commenter, would be
                                                  temporary increased AQI program levels                  achieving the rule’s objectives:                      making importers and exporters pay a
                                                  so that fees would not require an                       Increased user fee funding of AQI                     disproportionate amount of APHIS’
                                                  emergency adjustment.                                   services; reduced reliance upon                       costs.
                                                     In addition, we note that an increase                appropriated funding of AQI services;                    We note that user fees based on the
                                                  in trade, in and of itself, would not                   making AQI fees by class more                         quantity or the value of a shipment do
                                                  increase our user fee reserve. In fact,                 commensurate with the services                        not necessarily correspond to the actual
                                                  insofar as we would have to provide                     provided; and replenishment of the                    cost of providing the AQI service. For
                                                  AQI-related services more frequently, an                reserve. Moreover, this is the first major            example, the cost of monitoring a
                                                  increase in trade could accelerate                      adjustment to AQI user fees in nearly 10              fumigation treatment for a large number
                                                  depletion of the reserve if fees do not                 years. Other than minor adjustments for               of pallets is about the same as the cost
                                                  recover the costs per service rendered.                 inflation from FY 2000–FY 2010, the fee               for a few pallets, since an APHIS
                                                     A commenter stated that the fee for                  rates have not changed even though the                inspector would be required to be
                                                  AQI treatment services will not be                      AQI program has hired several hundred                 present for most of the treatment and
                                                  neutral, that it will cause importers to                additional inspectors and incurred other              always at the beginning and the end of
                                                  alter shipping choices in order to                      costs to meet the increasing need caused              the procedure regardless of the quantity
                                                  minimize the fee cost rather than                       by a large increase in arriving                       of pallets being treated.
                                                  maximizing their commercial efficiency.                 international passenger and cargo                        A few commenters asked whether the
                                                     Phytosanitary treatments and their                   traffic.                                              same cost should apply to verifying that
                                                  AQI oversight are integral activities                      Several commenters specifically                    a treatment occurred as the cost of
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  when it is determined that a shipment                   opposed the proposed treatment fee and                actually conducting a treatment. The
                                                  is considered to pose a plant pest risk.                cited potentially negative economic                   commenters cited treatment verification
                                                  Currently, AQI treatment monitoring is                  impacts, including job losses, increased              for Peruvian asparagus, which they
                                                  provided to importers at no direct cost.                prices for U.S. consumers, and loss of                stated involves reviewing a set of charts
                                                  The rule will bring that cost into the                  trade. Several of these commenters                    to ensure that the treatment was
                                                  importer’s decisionmaking process. One                  stated that because importers would                   conducted according to the
                                                  outcome of that process may in fact be                  have to pay this fee to individually                  requirements. The commenters stated
                                                  importers undertaking activities, where                 fumigate small batches of flowers, the                that the fee for verifying that a treatment


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                                                  66766            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  was conducted satisfactorily should not                 between Canada and the United States                  more difficulties in increasing
                                                  be equal to the fee for conducting a                    to facilitate trade. Another commenter                transponder usage and recommended
                                                  treatment.                                              stated that increasing AQI fees that                  that APHIS should offer the transponder
                                                     We disagree with the commenters’                     directly impact cross-border North                    for sale on a payment program.
                                                  characterization of APHIS’ involvement                  American Free Trade Agreement                         Similarly, another commenter stated
                                                  in verifying treatments of Peruvian                     (NAFTA) trade does not support a                      that the proposed fee increases will
                                                  asparagus. APHIS officials do not                       policy for reducing regulatory and trade              significantly extend the number of
                                                  simply verify documentation to                          burdens. These cooperative initiatives                border crossings carriers will need to
                                                  establish that a treatment, such as a                   should review whether fees, such as the               undertake to justify the use of
                                                  fumigation, took place. APHIS pressure                  AQI user fees, should be required                     transponders, thereby discouraging
                                                  tests the containers, prescribes the                    among the three NAFTA countries                       more carriers from using this
                                                  amount of gas, and verifies the amount                  covered.                                              technology.
                                                  of gas that has been used. APHIS also                      CBP and APHIS have conducted                          Another commenter also noted that
                                                  conducts readings of gas concentrations                 inspections and collected AQI user fees               the commercial transponder fee would
                                                  at set intervals during treatment. These                at the Canadian border since 2007                     increase from $105 to $320 annually, for
                                                  readings are used to determine whether                  without any major collection-related                  a 200 percent increase. The commenter
                                                  the proper amount of gas is being used                  issues inhibiting trade at the border. In             stated that such a large increase may be
                                                  during treatment and to certify the                     addition, several initiatives established             unaffordable for small carriers to pay on
                                                  treatment once it is adequately                         between the United States and Canada                  an annual basis. The commenter also
                                                  completed.                                              focus on regulatory cooperation and                   stated that it may be more feasible to
                                                     Some commenters stated that the                      development of a perimeter approach to                provide payment options and explore a
                                                  proposed user fee for AQI treatment                     reduce risks to North America and to                  tiered approach over a time period
                                                  services will lead foreign exporters to                 facilitate cross-border trade. The goal of            rather than the entire amount all at
                                                  seek markets with easier access and                     these initiatives is to establish                     once. The commenter stated that
                                                  thereby create potential shortages and                  mechanisms for ongoing regulatory                     similarly, the proposed per-truck fee
                                                  higher prices for cut flowers and off-                  cooperation for issues of mutual                      increase from $5.25 to $8.50 would
                                                  season fresh produce. Commenters also                   concern. The Regulatory Cooperation                   seem to disproportionally hit small
                                                  stated that many times when there is a                  Council (RCC) was established to                      truckers, who tend to operate on a more
                                                  pest discovered in a shipment of cut                    facilitate closer cooperation between our             transactional basis. The commenter
                                                  flowers, for example, the number of                     two countries to develop smarter and                  stated that, incentives to apply the per-
                                                  boxes requiring treatment is minimal. In                more effective approaches to regulation.              truck fee toward consolidation for
                                                  such instances, given the proposed AQI                  The AQI cost analysis is not counter to               securing the transponder might be
                                                  treatment fee in addition to fumigation                 the commitments the United States has
                                                                                                                                                                appropriate.
                                                  costs, importers may decide to return                   made to Canada under the RCC
                                                  the shipment to the country of origin                                                                            As noted earlier, due to the change in
                                                                                                          initiative, and is consistent with the
                                                  rather than have it treated for entry.                  goals and history of this and other                   the methodology we are using to
                                                     We expect any diversion of trade                     initiatives.                                          calculate the reserve amounts, both the
                                                  away from the United States in response                    Several commenters from the                        individual crossing and transponder
                                                  to the fee for AQI treatment services will              transportation sector opposed the                     fees are lower in this final rule than
                                                  be minor and not affect the U.S.                        proposed increases to AQI user fees,                  those we originally proposed. With the
                                                  economy significantly. Possible                         citing the increased cost of inspection               rule, the cost of the transponder will be
                                                  economic effects will be further                        and shipment of agricultural items                    equivalent to approximately 40 times
                                                  diminished by the downward                              across borders. Many of these                         the single-crossing fee, as opposed to
                                                  adjustment of the fee in this final rule.               commenters referred specifically to the               the current 20 times the single-crossing
                                                  The size and breadth of U.S. demand for                 proposed increase in the truck                        fee. Despite its higher cost, purchase of
                                                  imported cut flowers and off-season                     transponder fee. A few commenters                     a transponder will still provide cost
                                                  fresh produce are large. The growth in                  stated that increasing transponder fees               savings for most cross-border trucking
                                                  these markets in recent years reflects                  will slow down the flow of traffic at                 firms (the average number of crossings
                                                  U.S. consumers’ willingness to pay for                  border crossings with Canada by                       per firm is 97 per year) and will also
                                                  these commodities. The return of an                     reducing the number of transponders                   reduce their paperwork and wait times.
                                                  infested shipment to the country of                     purchased, thereby increasing the                     Because for most cross-border trucking
                                                  origin rather than its treatment will be                number of cash collections at the port of             firms the cost of the transponder will
                                                  a case-by-case decision of the individual               entry. The commenters stated that this                still be more economical than paying
                                                  importer based on costs and expected                    is not only time-consuming for border                 the single crossing fee for each crossing,
                                                  returns. In the case of imported cut                    officials, but that other scarce CBP                  we disagree with commenters that the
                                                  flowers and fresh produce, we expect                    resources must also be assigned to                    firms are unlikely to pay the increased
                                                  that the fee for AQI treatment services                 completing reports on these activities                transponder fee, and do not anticipate a
                                                  may in fact prompt increased marketing                  and ensuring all financial                            significant increase in the collection of
                                                  efficiencies if potential plant pest risks              documentation is completed.                           single-crossing fees at the U.S./Canada
                                                  can be addressed prior to the U.S. port                    One commenter stated that the biggest              border as a result of this rule.
                                                  arrival. These commodities are treated                  barrier to increased use of transponders                 We also note a number of ancillary
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                                                  at the port of entry if they are                        has been the initial one-time payment,                benefits associated with transponder use
                                                  considered to pose a plant pest risk. If                because owners/operators of long-haul                 that should encourage continued use.
                                                  not, no treatment is required and the fee               trucks that do cross the border are often             Small businesses, as well as large ones,
                                                  for AQI treatment services will not be                  reluctant to purchase the transponder if              develop their annual business models
                                                  incurred.                                               they are not certain about their number               based on projected levels of revenue and
                                                     Several commenters stated that the                   of border crossings in a given year. The              expenditure, for which there is always
                                                  proposed user fees generally run                        commenter stated that a 205 percent                   an element of uncertainty. Use of a
                                                  counter to the cross-border initiative                  proposed fee increase will only create                transponder not only effectively reduces


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                      66767

                                                  the AQI fees, but importantly, reduces                  reasons, we do not expect that the new                require cold treatment. Cold treatment
                                                  the time spent crossing the border.                     fee will require the cruise industry to               programs that operate under a trust fund
                                                     In short, we do not expect the                       make significant adjustments to port                  agreement will be exempt from paying
                                                  increase in the AQI fees for trucking                   calls or other business practices.                    the fee.
                                                  firms, with or without transponders, to                    In addition, several commenters were                  Several commenters stated that the
                                                  significantly harm a substantial number                 concerned about the impact of the                     proposed fee increases are exorbitant
                                                  of small businesses. We believe many if                 proposed commercial vessel (cruise)                   and may not be representative of the
                                                  not most small businesses will continue                 passenger AQI fee for international                   service provided. The commenters
                                                  to accrue benefits gained through the                   cruise ships. One commenter suggested                 noted that some services, such as
                                                  use of transponders. A system whereby                   that a 3-month time frame for                         fumigation, are performed almost
                                                  payment for a transponder could be                      implementing the proposed fees is                     exclusively during overtime hours, but
                                                  distributed over the year cannot be                     insufficient for the maritime transport               APHIS gives the impression in Federal
                                                  efficiently administered at present and                 industry and suggested a minimum of 9                 Register notices and the related
                                                  would increase the annual cost of a                     months for implementation. The                        documents that the costs for this work
                                                  transponder. Moreover, such a system                    commenter added that costs will be                    are not covered.
                                                  would not reduce the level of                           difficult to bear in the short-term when                 As has been described, APHIS
                                                  uncertainty businesses face when                        factored against multiple conveyances                 employed ABC methodology to ensure
                                                  planning for the future, including when                 within a company.                                     that the new AQI user fees are
                                                  deciding whether or not to purchase a                      We do not agree with these                         commensurate by class with the costs of
                                                  transponder.                                            commenters. As noted above, we do not                 providing AQI services. For some
                                                     Commenters stated that the proposed                  expect that the increased fee will                    classes, such as bus passengers, private
                                                  increase in the commercial aircraft user                require the cruise industry to make                   vehicles, and pedestrians, transaction
                                                  fee would be extraordinarily                            significant adjustments to port calls or              costs of creating and operating fee
                                                  burdensome for smaller-capacity                         other business practices. Phasing in the              collection systems would be overly
                                                  passenger flights commonly deployed in                  new fee, as the commenters recommend,                 burdensome. As we have already noted,
                                                  flights from Mexico, Canada, and the                    would not allow us to recover the costs               in this final rule, we have removed the
                                                  Caribbean, and the new fee is not                       we incur for screening cruise ship                    overtime component from the flat user
                                                  commensurate with the inspection time                   passengers.                                           fee, thus lowering that fee to $237,
                                                  required for these flights.                                A commenter stated that the new                    phased in over 5 years; however, in
                                                     Aircraft with 64 or fewer passenger                  commercial vessel (cruise) passenger                  order to recover our costs, we will need
                                                  seats are in fact exempt from the AQI                   fees could mean an overall increase                   to charge overtime fees as appropriate.
                                                  commercial aircraft inspection fee if                   from $7,440 to over $600,000 in fees for                 A commenter stated that the treatment
                                                  they serve only beverages and snacks                    a single ship for 1 year. The commenter               user fee will mean organic fruits and
                                                  that do not contain fresh fruits; fresh                 also asked for confirmation that the per-             vegetables cannot be sold as organic.
                                                  vegetables; or meats from ruminants,                    passenger fee would only be assessed                     Our proposal to recover AQI service
                                                  swine, or poultry; and carry cargo other                one time per voyage as opposed to each                fees for treatments against plant pests
                                                  than fresh fruits, fresh vegetables,                    U.S. port call during a voyage.                       has no direct effect on whether fruits
                                                  plants, unprocessed plant products,                        As there is currently no AQI fee for               and vegetables can be sold as organic.
                                                  cotton or covers, sugarcane, or fresh or                commercial vessel (cruise) passengers,                While we propose a service fee for such
                                                  processed meats. Arriving aircraft that                 we are uncertain of how the commenter                 treatments, the proposal makes no
                                                  do not meet these conditions pose a                     arrived at the numbers cited. Regarding               changes to existing treatment
                                                  sanitary or phytosanitary risk. We have                 the question about assessment of the                  requirements. Shipments that are free of
                                                  a statutory obligation under the Animal                 passenger fee, it would only be assessed              quarantine pests, or that do not require
                                                  Health Protection Act and the Plant                     one time per voyage (i.e., upon arrival               irradiation, methyl bromide, or other
                                                  Protection Act and to prevent the                       in the United States) as opposed to each              chemical treatments are able to keep
                                                  introduction or dissemination of animal                 U.S. port call during a voyage.                       their organic designation.
                                                  and plant pests and diseases into the                      A few commenters stated that the
                                                  United States.                                          proposed treatment user fee adds costs                Fairness Issues
                                                     One commenter stated that the                        that could derail the cold treatment                     Many commenters expressed
                                                  proposal to introduce a commercial                      pilot program in south Florida and                    concerns about what they perceived as
                                                  vessel (cruise) passenger fee of $2 could               negatively impact the economy in other                inequities in our proposed AQI user fee
                                                  negatively impact Florida’s tourist                     regions where cold treatment programs                 structure. Commenters representing,
                                                  industry if cruise lines see advantages to              are established.                                      among others, pest-treatment providers,
                                                  taking their ships to less expensive                       As with cold treatment completed in                cargo and passenger conveyance
                                                  foreign ports.                                          transit on certified vessels, treatment               industries, and importers and exporters,
                                                     The FACT Act gives APHIS authority                   performed at U.S. facilities requires                 viewed the proposed fee increases and/
                                                  to charge a fee for all international                   oversight and will be subject to the fee              or the imposition of new fees as unfairly
                                                  passengers. Moreover, we note that the                  for AQI treatment services. Approval of               burdensome to the entities on whose
                                                  average cost of a cruise ticket is                      cold treatment equipment and checking                 behalf they advocated. Some also
                                                  substantially more than the $1.75                       of records helps to ensure that pest risks            suggested that the proposed fees were
                                                  passenger fee. Further, the cruise                      are kept at an acceptable level. APHIS                not commensurate with the actual costs
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                                                  passenger fee will be assessed on a per-                has been working to automate this                     of the AQI services provided. These
                                                  ticket basis, as is the case for                        process, which is expected to eventually              issues are discussed in detail in the
                                                  international air passengers, so that                   result in lower costs and a                           sections that follow.
                                                  cruise passengers will have to pay it                   corresponding reduction in the fee for
                                                  only once per voyage. The commercial                    AQI cold treatment services. In the near              Treatment Fee
                                                  vessel (cruise) passenger fee will apply                term, the reduction in the treatment fee                Some commenters stated that having
                                                  only to tickets purchased on or after the               in this final rule will lessen the burden             to pay not only the new treatment fee
                                                  effective date of this final rule. For these            on entities importing commodities that                but also overtime fees for treatments


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                                                  66768            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  conducted outside of regular business                   lessen the burden on both large and                   responsibility lies with the fumigator,
                                                  hours would place an undue financial                    small entities that are subject to the fee.           who is ultimately responsible for the
                                                  burden on smaller importers and the                        A large number of commenters stated                success or failure of the treatment;
                                                  fumigators that treat their cargo. In                   that imposing the same flat fee for                   therefore, the fumigator should remit
                                                  addition, some of these commenters                      different types of treatments was                     the fees. If APHIS were to bill importers
                                                  viewed the requirement to pay both fees                 inequitable because some types of                     for the cost of AQI treatment services,
                                                  as unfair because they felt that the fees               treatments are more labor-intensive than              the fumigator would still be responsible
                                                  were duplicative to some extent, i.e.,                  others and require more personnel and                 for providing APHIS with necessary
                                                  that the affected entities would be                     more time. It was recommended that                    information on the commodities being
                                                  charged twice for the same services.                    APHIS reevaluate the fees. According to               fumigated, including the identity of the
                                                     As noted above, overtime fees will                   the commenters, such a reevaluation                   importers and each one’s percentage
                                                  only apply when treatments are                          would likely result in our assessing                  share of a particular treatment, for
                                                  conducted outside normal business                       different fees for different treatments,              APHIS billing purposes.
                                                  hours. The $237 treatment fee contained                 e.g., for cold treatment versus
                                                                                                          fumigation.                                           Aircraft and Air Passenger Fees
                                                  in this final rule only covers the costs
                                                  we incur in providing treatment-related                    APHIS uses a labor survey to                          Commenters expressed a number of
                                                  AQI services during normal business                     determine the level of effort required by             concerns regarding the equity of the
                                                  hours. This approach is more equitable                  AQI personnel to conduct various AQI                  proposed air transport and air passenger
                                                  in that those requesting services after                 activities, including those associated                fees, with many objecting to the
                                                  hours are causing the government to                     with treatments. Thus, for example, the               magnitude of the increase in the former.
                                                                                                          monitoring of cold treatments requires                   Some commenters recommended that
                                                  incur a greater cost. This cost should not
                                                                                                          work by APHIS unseen by the payer of                  APHIS create a fee schedule for aircraft
                                                  be subsidized by firms that transact
                                                                                                          the fee. This includes the analysis of the            that would distinguish between
                                                  business within the normal hours. Since
                                                                                                          transmitted data. This is a direct service            categories of users. It was stated that the
                                                  APHIS charges the firm providing the                                                                          proposed rise in the commercial aircraft
                                                                                                          delivery and should not be confused
                                                  fumigation services, there should be                                                                          inspection fee was not warranted for
                                                                                                          with support costs, since the cost is
                                                  opportunities for the smaller importing                                                                       smaller aircraft and would besides be
                                                                                                          incurred for each cold treatment
                                                  firms to work with the fumigator to                                                                           extraordinarily burdensome for smaller-
                                                                                                          monitored. The data we collected using
                                                  consolidate several fumigations so that                                                                       capacity passenger flights commonly
                                                                                                          our ABC methodology did not reveal a
                                                  the single AQI charge is divided                                                                              deployed in flights from Mexico,
                                                                                                          significant enough difference in the
                                                  between the firms accordingly.                                                                                Canada, and the Caribbean. Some
                                                                                                          amount of labor associated with
                                                     Commenters stated that the proposed                  different treatments to warrant a more                commenters stated that APHIS should
                                                  flat fee of $375 per enclosure or                       complex fee structure.                                expand its small aircraft exemption to
                                                  treatment seemed to be                                     The April 2014 proposed rule                       include aircraft with 100 or fewer seats.
                                                  disproportionately high for those                       contained a provision requiring                       Other commenters stated that the April
                                                  treatment providers with small                          treatment companies to be responsible                 2014 proposed rule does not provide
                                                  enclosures or treatments and                            for collecting the treatment fees from                reasoned justification for the increase in
                                                  disproportionately low for those with                   importers and remitting them to APHIS.                the commercial aircraft inspection fee
                                                  large enclosures or treatments. It was                  Many commenters objected to this                      specific to small commercial jet aircraft
                                                  suggested that in the latter case, the fee              provision. It was stated that the                     with 20 or fewer seats. According to the
                                                  collected by the fumigator from the                     requirement would impose substantial                  commenters, inspecting smaller aircraft,
                                                  importer could fall far short of the                    financial and administrative burdens on               such as commuter planes, imposes less
                                                  expenses incurred in providing the                      treatment providers, especially smaller               of a cost burden on APHIS than does
                                                  treatment. It was stated further that the               entities. Among other things, treatment               inspecting larger airliners. Some smaller
                                                  main and the only direct treatment cost                 providers would have to hire additional               aircraft may carry only passengers’
                                                  to be captured is the inspectors’ time. It              administrative staff and establish                    luggage and not cargo and therefore
                                                  was suggested that a better way to                      dedicated bank accounts to prevent the                impose a minimal cost burden on
                                                  charge the user for the actual costs                    remittances from being commingled                     APHIS. Smaller aircraft, it was asserted,
                                                  APHIS and CBP incur would be to                         with other company funds. It was                      should therefore be charged a lower fee,
                                                  charge a fee as a dollar per hour of                    suggested that the billing systems and                commensurate with that lower cost
                                                  inspector time instead of an arbitrary fee              infrastructure already exist for APHIS to             burden, if not exempted from the fee
                                                  per enclosure or treatment. This                        bill treatment companies for the                      altogether
                                                  method, it was stated, would be more                    inspectors’ time and labor. One                          We do not agree with these
                                                  equitable, especially to small business                 commenter stated that a more equitable                commenters. As noted earlier, aircraft
                                                  or businesses bringing in small                         means of collecting the fee would be for              with 64 or fewer passenger seats are, in
                                                  shipments.                                              APHIS to bill the shipping line or agent              fact, exempt from the AQI commercial
                                                     Contrary to the commenters’                          directly.                                             aircraft inspection fee if they are: (1) Not
                                                  assertion, there is not a significant                      We do not agree with these                         carrying the following cargo: Fresh
                                                  difference between the time required for                comments. A large number of treatment                 fruits, fresh vegetables, plants,
                                                  the monitoring of smaller enclosures                    providers do in fact already have                     unprocessed plant products, cotton or
                                                  and that required for the monitoring of                 mechanisms in place to collect and                    covers, sugarcane, or fresh or processed
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                                                  larger ones. The level of effort required               remit fees. The majority of fumigators                meats; and (2) do not offer meal service
                                                  by APHIS personnel is the same                          are already collecting and remitting fees             other than beverages and prepackaged
                                                  regardless of the amount of product that                for overtime services that are currently              snacks that do not contain meats
                                                  is undergoing a fumigation treatment.                   being incurred. APHIS provides the                    derived from ruminants, swine, or
                                                  Our costs, therefore, are the same, and                 treatment oversight service directly to               poultry or fresh fruits and fresh
                                                  the fees accurately reflect those costs.                the party that provides the fumigation                vegetables. Additionally, because they
                                                  The reduction and phasing in of the                     service. While the imported commodity                 are usually short in duration, they
                                                  treatment fee in this final rule will                   is owned by others, the treatment                     usually offer only drink service and


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                        66769

                                                  light, prepackaged snacks such as                         Some commenters objected to our                     for contaminants, pests, or invasive
                                                  peanuts. They thus would be exempt                      levying both commercial aircraft and                  species; identifying pests found during
                                                  from paying the fee. Any arriving                       commercial air passenger user fees. It                those inspections; and safeguarding
                                                  aircraft, regardless of size, that do not               was stated that, while the FACT Act                   shipments pending PPQ determination
                                                  meet these conditions may pose a                        permits the use of passenger fees to pay              for treatment or final disposition. Based
                                                  sanitary or phytosanitary risk and need                 for inspections of the aircraft, by                   on our ABC analysis, we determined
                                                  to be inspected. We have a statutory                    charging both passengers and operators                that the air passenger fee is not adequate
                                                  obligation under the Animal Health                      inspection fees, we are, in effect,                   to recover all the costs we incur in
                                                  Protection Act and the Plant Protection                 collecting double payments. Such                      inspecting both passengers and aircraft,
                                                  Act to prevent the introduction or                      double charging, it was stated, is not                while the sea passenger fee is adequate
                                                  dissemination of animal and plant pests                 permissible under the provisions of the               to recover the costs we incur in
                                                  and diseases into the United States. As                 FACT Act and cannot be justified on the               inspecting both passengers and cruise
                                                  noted elsewhere, the size of a particular               basis of cost data. It was noted that in              ships.
                                                  means of conveyance does not                            the preamble to the April 2014 proposed                 In the April 2014 proposed rule, we
                                                  necessarily correspond to the amount of                 rule, we stated that the costs of                     proposed to reduce the air passenger
                                                  time it takes to conduct inspections of                 inspecting cruise ships would be                      inspection fee from $5 to $4. One
                                                  the conveyance.                                         covered by the proposed commercial                    commenter objected to lowering that fee
                                                     A commenter representing a Canadian                  vessel (cruise) passenger fee alone. One              on the grounds that most quarantine
                                                  airline stated that APHIS’ imposition of                commenter asked the following                         material is seized from air passengers
                                                  the aircraft inspection user fee on                     question: If the international air                    and that, therefore, the lower fee would
                                                  passenger aircraft operating U.S./Canada                passenger user fee must by law fully                  not be commensurate with the labor
                                                  trans-border service violates U.S. and                  cover the AQI costs associated with                   required for inspection of such
                                                  international law. According to the                     inspecting the aircraft on which the                  passengers.
                                                                                                          passenger arrived, what costs, then,                    We do not agree with this comment.
                                                  commenter, the fee violates the FACT
                                                                                                          does an aircraft fee applicable to                    As we noted in the preamble to the
                                                  Act by being applied without regard to
                                                                                                          commercial passenger aircraft cover?                  April 2014 proposed rule, our ABC data
                                                  the class of aircraft, despite the
                                                                                                          Other commenters recommended that                     indicated that, if not adjusted, the air
                                                  difference in cost burdens associated
                                                                                                          we exclude commercial passenger                       passenger fee was going to generate
                                                  with the different classes. In relation
                                                                                                          aircraft from aircraft inspection fees,               revenues in excess of that required to
                                                  specifically to Canada, the proposed
                                                                                                          since the costs of conducting such                    support anticipated costs. As a result,
                                                  fees were said by the commenter to                                                                            we proposed a 20 percent decrease in
                                                  violate Article 9 of the 2007 U.S.-                     inspections is paid for by the passenger
                                                                                                                                                                this fee (from $5 to $4) to better align
                                                  Canada Open Skies Agreement, which                      fees.
                                                                                                                                                                the fee with the cost of activities related
                                                  requires that fees be ‘‘just, reasonable,                 We do not agree with the suggestion                 to air passengers. We have since
                                                  not unjustly discriminatory, and equally                by the commenters that we are double                  lowered this fee further, to $3.96, due to
                                                  apportioned among categories of users.’’                charging or violating the FACT Act by                 the change in our methodology for
                                                  The commenter urged us to reinstate the                 imposing both an aircraft fee and an air              calculating the reserve. The commenter
                                                  exemption provided to carriers                          passenger fee, since the respective fees              did not present data that would support
                                                  operating U.S./Canada services that                     cover different costs. As noted in the                the position that the adjusted fee was
                                                  existed prior to 2007, since there has                  preamble to the April 2014 proposed                   too low.
                                                  been no evident enhancement of                          rule, the air passenger fee covers our
                                                  inspection services to justify the                      costs for, among other related things,                Commercial Truck Fees
                                                  removal of that exemption.                              screening passengers upon arrival for                    Some commenters stated that the
                                                     We do not agree with these                           agricultural products by CBP                          proposed fee increase for commercial
                                                  comments. The FACT Act requires that                    Agriculture Specialists and CBP officers;             trucks, from $5.25 to $8 ($7.55 in this
                                                  AQI user fees be commensurate with the                  inspecting baggage using CBP                          final rule), could put Canadian and
                                                  costs we incur in performing our AQI                    agriculture canines and specialized non-              Mexican products at a competitive
                                                  activities with respect to the class of                 intrusive inspection equipment;                       disadvantage in comparison with
                                                  persons or entities paying the fees. The                inspecting the interior of the passenger              products from other foreign countries
                                                  adjusted fees are necessary for us to                   aircraft; monitoring the storage and                  that are subject to the same international
                                                  better ensure that we recover our costs                 removal of regulated international                    trade obligations. It was claimed that the
                                                  of providing AQI services, and, as noted                garbage from the aircraft; safeguarding               fees for commercial truck shipments are
                                                  above, the costs we incur for inspecting                and disposing of any seized or                        effectively higher than the fees for the
                                                  commercial aircraft do not differ                       abandoned prohibited agricultural                     other transportation modes by means of
                                                  significantly due to the size of the                    products; and identifying pests found                 which most other countries ship their
                                                  aircraft. Further, the fees do not in any               on prohibited agricultural products                   goods to the United States.
                                                  way discriminate against Canadian air                   brought into the country by air                          We do not agree that fees for
                                                  traffic. Aircraft from any country                      passengers. The commercial aircraft fee               commercial truck shipments are
                                                  arriving in the United States are subject               covers, among other related things, costs             effectively higher than the fees for other
                                                  to the same fees. We do not agree with                  we incur in reviewing manifests and                   transportation modes. As we have
                                                  the recommendation by the commenter                     documentation accompanying incoming                   noted, our AQI user fees are intended to
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                                                  to restore the user fee exemption for air               cargo; targeting higher-risk cargo for                recover the costs we incur in providing
                                                  carriers operating between the United                   inspection or clearance; inspecting                   AQI services and are set on that basis.
                                                  States and Canada. When the exemption                   agricultural and agricultural-related                 These fees are based on the cost of
                                                  was in effect, we were not recovering                   commodities, international mail,                      services provided, using the ABC
                                                  the costs of conducting those                           expedited courier packages, containers,               methodology referred to above. Fees for
                                                  inspections, and shortages of funding                   wood packaging and other packing                      various conveyances are calculated
                                                  and personnel hampered our inspection                   materials and determining entry status;               based on the projected number of
                                                  efforts.                                                inspecting the aircraft hold or exterior              conveyances subject to inspection


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                                                  66770            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  within each transportation mode, using                    Some commenters stated that the                     exclusively on the Great Lakes not be
                                                  standard units such as a truck or                       commercial truck fees violated                        raised and, further, that such fees be
                                                  airplane. Inspection costs are driven by                Executive Order 13563, which requires                 collected only from vessels carrying
                                                  a number of factors, including number                   Federal agencies to integrate their                   agricultural commodities.
                                                  of conveyances, risk targeting, and other               regulatory efforts when there are                        We do not agree with this comment.
                                                  criteria, but costs are spread among all                overlapping regulatory requirements.                  As we noted above, any cargo or
                                                  conveyances subject to inspection.                      Charging a separate AQI fee for                       conveyance may carry hitchhiking
                                                     Other commenters expressed the view                  inspecting commercial vehicles when                   pests, seeds, or contaminants. In
                                                  that the proposed commercial truck fee                  CBP is already performing and charging                addition, there could be risk associated
                                                  was inequitable because while the                       for those services is redundant and                   with storage of regulated international
                                                  majority of trucks crossing the bridges                 unnecessary, according to the                         garbage, plant pest concerns associated
                                                  between the United States and Canada                    commenters.                                           with the origin of the vessel (e.g., Asian
                                                  do not carry food or agricultural items,                  We do not agree with this comment.                  gypsy moth or khapra beetle), a previous
                                                  the fee would be applied to all trucks.                 APHIS and CBP do not have                             history of carrier contamination, or
                                                  Commenters stated that the universal                    overlapping authorities that would                    compliance-related wood packaging
                                                  application of the truck fees contradicts               result in charging for the same services.             material concerns. Therefore, such
                                                  the premise of the ABC approach and                     CBP collects Customs user fees to defray              vessels are subject to AQI inspection
                                                  results in an unfair application of the                 certain costs related to the provision of             conducted by CBP officers. We would
                                                  user fee to those trucks that do not use                services that ensure that carriers,                   also note that the vessel fees cover not
                                                  the service because they do not carry                   passengers, crew members and their                    only the costs of the AQI inspections
                                                  agricultural products.                                  personal effects comply with customs                  themselves, but those we incur in
                                                     We do not agree with this comment.                   laws. CBP also collects immigration user              performing, among other things,
                                                  Any cargo, whether agricultural or non-                 fees to defray certain costs related to the           targeting activities, manifest review, and
                                                  agricultural, or conveyance could                       provision of services that ensure                     general oversight.
                                                  potentially carry hitchhiking pests,                    compliance with immigration laws.                        Prior to this rulemaking, the
                                                  seeds, or contaminants. For example,                    APHIS charges AQI user fees for work                  regulations in 7 CFR 354.3(b)(1) capped
                                                  wood packaging material, such as                        conducted by CBP under APHIS’                         the number of payments of AQI fees for
                                                  wooden pallets, which are used to ship                  statutory and regulatory authority.                   individual vessels at 15 per calendar
                                                  such nonagricultural products as                                                                              year. In order to recover the costs of
                                                  electronic items, can carry wood-boring                 Commercial Vessel and Commercial                      administering AQI services to
                                                  insects, noxious weed seeds, gypsy                      Vessel (Cruise) Passenger Fees                        commercial maritime vessels, we
                                                  moths, and other hitchhiking pests that                    Many commenters representing the                   proposed to eliminate that cap. Some
                                                  can attach themselves not only to                       commercial vessel industry viewed our                 commenters recommended that we
                                                  nonagricultural items but also to the                   proposed fee increases and the proposed               reinstate that cap in the final rule. It was
                                                  vehicles conveying them, thus posing an                 imposition of a commercial vessel                     suggested that the elimination of the cap
                                                  additional concern. In addition,                        (cruise) passenger fee as                             would be burdensome for the
                                                  prohibited soil may be attached to the                  disproportionate, claiming that they                  commercial maritime industry and
                                                  articles in a shipment or to the                        unfairly targeted the maritime industry.              extremely so for international flag
                                                  conveyance itself. To allow us to                       Commenters stated that the fees were                  vessels operating on the Great Lakes.
                                                  mitigate these risks adequately, any                    excessively burdensome for the industry               Such vessels, commenters stated, make
                                                  commodities and the conveyances that                    and did not in all cases correspond with              several port calls per single voyage into
                                                  carry them may be subject to inspection.                the cost of the AQI services provided.                the Great Lakes, while other commercial
                                                  Additionally, we note that, under the                      As we explained in the preamble to                 vessels in the same fee class tend to
                                                  scenario proposed by the commenters,                    the April 2014 proposed rule, we                      make single voyages with often only one
                                                  we would still need to inspect                          employed the ABC methodology to                       port call and a complete discharge of
                                                  commercial trucks in order to determine                 determine the costs of AQI services, and              cargo at that port. Vessels operating on
                                                  that they were not carrying agricultural                this information, along with other                    the Great Lakes would therefore be
                                                  products.                                               factors, was used to define an                        subject to the fees much more often per
                                                     Commenters stated that commercial                    appropriate fee structure and set fee                 calendar year than those making less
                                                  conveyances operating under CBP’s                       rates. Entities that are assessed AQI fees            frequent port calls.
                                                  Customs-Trade Partnership Against                       are paying to cover the costs that we                    We do not agree with the commenters.
                                                  Terrorism (C–TPAT) program pose a                       incur in performing the services that we              As we noted in the preamble to the
                                                  much smaller threat of importing items                  are required to perform for those                     April 2014 proposed rule, our ABC data
                                                  of concern to APHIS than do buses or                    entities.                                             indicated that by retaining the cap, we
                                                  private vehicles, which are exempt from                    Commenters noted that vessels that                 would not be able to recover fully the
                                                  AQI user fees. It was suggested that, at                transit exclusively on the Great Lakes                costs of providing AQI services to
                                                  a minimum, therefore, APHIS, in                         move mostly dry bulk cargos and not                   maritime vessels. Further, the tasks of
                                                  coordination with CBP, should consider                  agricultural commodities. Such vessels,               collecting and administering user fees
                                                  a reduced AQI fee for C–TPAT-certified                  the commenters stated, do not pose a                  are less personnel-intensive, and
                                                  motor carriers.                                         risk of spreading agricultural pests or               therefore more cost-effective and
                                                     The C–TPAT program seeks to                          diseases, and often, there is no boarding             efficient when the fees are uniform,
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                                                  prevent the disruption of international                 or AQI inspection of the vessels and                  rather than when there are different fee
                                                  trade via terrorism. While C–TPAT                       their cargo by APHIS personnel.                       structures for conveyances or
                                                  members may be considered low-risk in                   Therefore, according to the commenters,               geographic locations that fall within the
                                                  terms of terrorism, this program does                   there is no basis in such cases for APHIS             same general categories. It is true, as the
                                                  not have an agricultural phytosanitary                  to levy AQI fees, since APHIS or CBP                  commenters pointed out, that because
                                                  component and does not eliminate the                    personnel are not providing AQI                       vessels that make several port calls per
                                                  need for conducting agricultural                        services. It was recommended that the                 voyage into the Great Lakes would be
                                                  inspections.                                            fees for vessels transporting goods                   subject to the applicable AQI fees at


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                       66771

                                                  each port of call, they would be charged                products and there is no risk of                      those that use the AQI services that the
                                                  more per year than vessels making less                  spreading pests or diseases.                          two agencies provide. The ABC
                                                  frequent port calls. Vessels in the former                 In accordance with the FACT Act,                   methodology that we employ in
                                                  category, however, would also be                        which states that the Secretary may                   calculating our costs and setting our fees
                                                  making more frequent use of AQI                         prescribe and collect fees sufficient to              associates the cost we incur with the
                                                  services; therefore, the cost of providing              cover the cost of providing AQI services,             level of staff effort applied. APHIS and
                                                  those services to such vessels would be                 and policy of the Executive Branch of                 CBP staff have to be present at the ports
                                                  higher for APHIS and CBP.                               the Federal Government, we set our fees               and conduct AQI activities regardless of
                                                     A commenter stated that the proposed                 at levels that enable us to recover the               the size and volume of the cargo or
                                                  new treatment fee was unfair to the                     costs of providing AQI services for each              conveyance requiring inspection.
                                                  commercial maritime industry because                    person or entity receiving those                      Importers and exporters pay only those
                                                  customers of the industry would be                      services. Regarding the assertion that                costs that they incur by using APHIS
                                                  heavily impacted while those in other                   the increased fees are not justified when             services.
                                                  sectors would not. According to the                     vessels are not carrying agricultural                    A commenter stated that the proposed
                                                  commenter, bus passengers, privately                    products, as noted above, any cargo or                rule favored break bulk shipments over
                                                  owned vehicle passengers, and                           conveyance may harbor hitchhiking                     container and air shipments, subjecting
                                                  pedestrians, all of whom are exempted                   pests or contaminants.                                the latter two to disproportionate
                                                  from the fees, require more of APHIS’                      A commenter stated that the proposed               charges because of lot sizes. The
                                                  resources than do customers shipping or                 $2 commercial vessel (cruise) passenger               commenter further stated that the
                                                  receiving cargo via private maritime                    fee is a one-size-fits-all mechanism that             disparity in charges relative to shipment
                                                  vessels. The commenter stated that                      contradicts APHIS’ stated principle of                size would be crippling to smaller
                                                  imposing a new fee structure on a use                   reducing risk by targeting inspections.               companies and those that ship by
                                                  activity that is currently paying its share             According to the commenter, by                        container. It was suggested that the final
                                                  through hourly charges, while charging                  applying the fee uniformly to all                     rule be revised to prorate the cost of the
                                                  no fees for multiple use activities that                passengers, APHIS recognizes neither                  inspections across all exporters in a way
                                                  are collectively responsible for $223                   the principle of risk analysis and                    that affects each exporter uniformly and
                                                  million in costs to APHIS, goes against                 reduction nor the extensive differences               offsets the real costs to perform the
                                                  the directives of the FACT Act in regard                among cruise operations in general and                necessary inspections, perhaps on a per
                                                  to cross-subsidizing AQI services.                      between individual cruise ship                        pound basis. The commenter stated that
                                                                                                          operations that are careful to mitigate               such revisions were necessary to ensure
                                                     As we noted in the preamble to the
                                                                                                          the risk of pest or contaminant                       that each exporter and importer is
                                                  April 2014 proposed rule, we are
                                                                                                          transmission and those that are not.                  treated the same, regardless of the size
                                                  retaining the previously established                       We do recognize that risk levels differ            of the shipment.
                                                  exemptions for bus passengers, privately                among pathways, and the nature of our                    As noted above, the methodology
                                                  owned vehicle passengers, and                           AQI activities for all commercial                     used to determine the costs of our AQI
                                                  pedestrians because the collection of                   vessels, including cruise vessels reflect             activities is based upon the time
                                                  such fees would not be cost-effective for               those differences. To that end, we do                 required of APHIS and CBP staff to
                                                  APHIS and CBP and could cause                           employ and will continue to employ                    perform those activities. Those activities
                                                  backups at ports of entry that could                    targeting of commercial cruise vessels                must be performed regardless of the size
                                                  affect international trade. Regarding the               that we consider to pose a higher-than-               or volume of the shipment or whether
                                                  cross-subsidization issue, the proposed                 average pest risk.                                    or not it is in a container.
                                                  rule was reviewed for consistency in                       However, the pest risk associated with                Some commenters representing
                                                  adhering to the FACT Act. Additionally,                 a particular vessel or class of vessels is            various sectors of the transport industry
                                                  GAO has reviewed APHIS’ work in AQI                     not static and can change significantly               expressed the view that rather than
                                                  fee setting. Based on the findings of                   over time. For example, a port of call                charging user fees to carriers, APHIS
                                                  those reviews, and our own internal                     visited by the vessel may be higher risk              should charge shippers or receivers only
                                                  review and assessment, we confirmed                     for pest introductions during certain                 for agricultural cargo that requires
                                                  that there is no cross-subsidization of                 months of the year than others. For this              inspection or certification.
                                                  AQI programs through user fees                          reason, it would be untenable for us to                  As we have noted above, the cost of
                                                  occurring.                                              attempt to establish and administer a fee             inspecting and clearing the carrier itself
                                                     A commenter expressed the view that                  system for cruise passengers that was                 is considered an AQI activity. Such
                                                  the proposed maritime vessel fee                        based on levels of risk when we know                  inspection and clearance are needed
                                                  increase was unfair to carriers operating               those levels of risk will fluctuate.                  even when a conveyance may not be
                                                  in the short-sea-shipping dry bulk                                                                            carrying agricultural products because
                                                  markets. Such carriers do not own the                   Additional Comments on Fairness                       of the possible presence of hitchhiking
                                                  cargo they carry, and compensation for                  Issues                                                pests and contaminants.
                                                  its carriage is not directly dependent on                  Some commenters stated that the                       In contrast to some of the commenters
                                                  the value of the commodity delivered.                   proposed fee adjustments and new fees                 referred to above, who favored
                                                  The carriers operate with very small                    would disproportionately punish                       exemptions for certain classes of
                                                  profit margins to ensure                                importers with smaller volumes. Others                conveyances, other commenters
                                                  competitiveness, and the proposed fee                   expressed the view that importers and                 objected to our allowing any such
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                                                  increase would have an inordinate                       exporters were already paying a                       exemptions. It was stated that AQI user
                                                  impact on them. It was claimed that the                 disproportionate share of APHIS’ costs                fees should be applied equally to all
                                                  methodology we used in setting the                      and should not be subject to additional               modes of transportation inspected,
                                                  proposed fees led us to underestimate                   burdens.                                              without complete waivers for select
                                                  the impact of the fee increase on such                     In collecting the fees, APHIS is                   classes.
                                                  entities. Further, it was stated that the               recovering the costs incurred from both                  As we noted above, this rulemaking
                                                  fee increase is not justified where the                 APHIS’ and CBP’s AQI-related                          leaves intact previously established
                                                  vessels are not shipping agricultural                   activities. Entities paying the fees are              exemptions from user fees for certain


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                                                  66772            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  categories of conveyances and                           used to import a commodity benefit                       If we were to eliminate overtime fees,
                                                  individuals, including some relatively                  directly by being able to engage in their             importers who operate during normal
                                                  small commercial aircraft that are not                  respective businesses. AQI user fees                  business hours would substantially
                                                  carrying certain regulated cargo, bus                   charged to commercial trucks, rail,                   subsidize importers who use these
                                                  passengers, privately owned vehicle                     aircraft, and cargo vessels cover the                 overtime services. We do not consider
                                                  passengers, and pedestrians. We                         costs of ensuring that sanitary and                   that to be equitable.
                                                  determined that collecting user fees for                phytosanitary risks posed by the means                   Several commenters suggested that, in
                                                  these categories of conveyances and                     of conveyance and the commodities                     lieu of user fees, APHIS should request
                                                  passengers would not be cost-effective                  they carry are at an acceptable level.                Congressional appropriations for the
                                                  for APHIS and CBP. As stated                            Industry organization and market                      AQI services we provide. Other
                                                  previously, any cost not recovered                      structure largely determine how the fees              commenters pointed out that APHIS has
                                                  through a fee is paid through                           or some portions thereof may be passed                discretionary authority under the FACT
                                                  appropriated funding. When the Federal                  forwards or backwards. Lastly, we note                Act to charge AQI user fees, but that the
                                                  Government cannot fully recover the                     that the general public does directly pay             Act does not mandate that we do so.
                                                  costs of providing a service, the excess                in part for AQI services from which they                 We believe the intent of the FACT Act
                                                  costs are ultimately borne by U.S.                      benefit indirectly to the degree that                 was for APHIS to charge user fees,
                                                  taxpayers rather than by the direct                     appropriated funds are used to support                commensurate with the costs of
                                                  beneficiaries of that service. The                      those services not covered by the fees.               services, for certain AQI-related services
                                                  rationale for collecting user fees is to                                                                      that were, up to that point, funded
                                                                                                          Miscellaneous Comments                                through Congressional appropriations.
                                                  have those who benefit from a service
                                                  cover its costs rather than have the                       One commenter stated that the fees                 The amendments to the Act clarified
                                                  general public cover them.                              were based on the assumption that AQI-                that this was to ensure that APHIS
                                                     One commenter representing the seed                  related services would be rendered by                 recovers the actual costs associated with
                                                  industry stated that industry would                     personnel at the general schedule (GS)                AQI-related services that we provide;
                                                  prefer to have a system whereby seed                    grade 10, step 1 level. The commenter                 annual appropriations do not guarantee
                                                  cleaning and treatment facilities in the                stated that AQI services provided by                  such cost recovery. Making the services
                                                  private sector are accredited by APHIS                  APHIS and CBP tend to be rendered by                  contingent on Congressional
                                                  to perform those services without the                   personnel at the GS grade 11 or 12                    appropriations once more would be
                                                  need for direct supervision or oversight                levels, and that APHIS may have                       inconsistent with what we understand
                                                  from APHIS or the State designee(s). It                 therefore underestimated the direct cost              to be the intent of the FACT Act, and
                                                  was stated that most seed shipments are                 of services rendered when computing                   could result in instances in which we
                                                  much smaller and more manageable                        the fees that we proposed.                            do not recover the costs for services
                                                  than bulk commodities and therefore                        We agree with the commenter that                   rendered. This could, in turn, result in
                                                  should be treated differently in regard to              AQI services are often rendered by                    us decreasing the nature or scope of
                                                  fees and inspections.                                   personnel at higher GS levels than grade              AQI-related services we provide.
                                                     This is comment is outside the scope                 10, step 1. However, in order to                         One commenter asked that we
                                                  of the present rulemaking. APHIS will                   compute the fees, we took into                        develop a concrete plan and
                                                  consider the comment, however, as it                    consideration the actual GS grade level               methodology for setting user fee levels
                                                  continues to explore alternate ways to                  of the personnel currently performing                 and evaluating their appropriateness.
                                                  safeguard American agriculture while                    the services. We also took into                          As documented in the proposed rule
                                                  facilitating international trade.                       consideration the possibility that                    and its supporting documents, we have
                                                     Commenters suggested that some of                    personnel rendering the services will be              developed such a methodology: The
                                                  the costs of the AQI program should be                  promoted to a higher GS grade level                   ABC accounting methodology.
                                                  borne by the general public rather than                 before the fee schedule is revised.                      One commenter pointed out that we
                                                  the users of the AQI services. It was                      Several commenters stated that any                 proposed a number of new user fees in
                                                  claimed that because, in addition to AQI                changes to user fees assessed for                     the proposed rule. The commenter
                                                  services, a significant part of the CBP                 overtime services provided at ports of                assumed that this meant that we were
                                                  mission is security, the public benefits                arrival would have significant negative               also proposing new AQI-related services
                                                  from services provided at ports of entry.               effects on the economy, including job                 and initiatives, and proposing a user fee
                                                  The commenter further stated that                       loss and increased prices for agricultural            for these new services and initiatives in
                                                  APHIS and CBP need to determine how                     products. Several other commenters                    order to recover costs. The commenter
                                                  much of their inspection activity is                    suggested we include revisions to the                 questioned the appropriateness of a
                                                  directed toward the public good and                     overtime user fee schedules in this final             proposed rule as a vehicle for expanding
                                                  how much toward providing services for                  rule.                                                 the scope of Agency actions in such a
                                                  industry. It was recommended that once                     We did not propose to adjust the                   manner.
                                                  that determination was made, the                        overtime services fees in this proposed                  We did not propose to conduct any
                                                  agencies should re-evaluate their                       rule. However, in a proposed rule                     new AQI-related services. Rather, we
                                                  proposed fees and adjust them                           published in the Federal Register on                  proposed to charge an AQI user fee for
                                                  accordingly. Services that benefit the                  April 25, 2014 3 (79 FR 22887–22895,                  services that to that point had been
                                                  general public, according to the                        Docket No. APHIS–2009–0047), we                       provided without a fee. Proposing a new
                                                  commenter, should be funded by                          proposed to revise those schedules.                   fee schedule through rulemaking is
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                                                  Congressional appropriations or means                      One commenter suggested that we                    authorized by § 136a(a)(1) of the FACT
                                                  other than charging user fees to                        eliminate overtime fees entirely and                  Act, and is consistent with our
                                                  industry.                                               consider those overtime costs in setting              obligation under the Administrative
                                                     We do not agree with the comments.                   AQI user fee schedules.                               Procedure Act to conduct rulemaking
                                                  While U.S. producers and consumers                                                                            for any requirements of general
                                                                                                            3 To view the proposed rule, its supporting
                                                  are indirect beneficiaries of AQI                       documents, or the comments that we received, go
                                                                                                                                                                applicability and future effect.
                                                  treatment services, importers and                       to http://www.regulations.gov/                           One commenter, an importer, stated
                                                  operators of the means of conveyance                    #!docketDetail;D=APHIS-2009-0047.                     that his products are always infested


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                        66773

                                                  with plant pests, and thus subject to                   fumigator, since APHIS is providing                   businesses to enter data in order to
                                                  treatment at the port of arrival. He                    oversight of the process to ensure                    comply with the regulatory and policy
                                                  requested that, if he can demonstrate                   efficacy. It is a business decision of the            requirements of multiple Federal
                                                  pest freedom for his products at least                  fumigator to pass this cost on to its                 agencies regarding imports and exports.
                                                  once, we waive the treatment user fee,                  customers.                                            The Order also instructs agencies to
                                                  contingent on the continual pest-                          Several commenters stated that,                    ‘‘improve the broader trade
                                                  freedom of the products.                                instead of revising the fee schedules to              development of innovative policies and
                                                     The treatment referenced by the                      ensure full cost recovery for AQI                     operational processes that promote
                                                  commenter is for commodities                            services that we provide, APHIS and                   effective application of regulatory
                                                  determined to be infested with a plant                  CBP should explore cost-cutting                       controls, collaborative arrangements
                                                  pest. If, in the future, the commenter’s                measures for those services.                          with stakeholders, and a reduction of
                                                  shipments are determined to be free of                     APHIS and CBP are committed to the                 unnecessary procedural requirements.’’
                                                  plant pests, they will not be treated, and              Federal Cost Cutting Campaign and the                    APHIS is committed to expeditious
                                                  he will not incur the user fee.                         principles of Executive Order 13589,                  deployment of ITDS. Additionally, as
                                                     Several commenters recommended                       ‘‘Promoting Efficient Spending.’’ To that             noted above, we are engaged in several
                                                  that we consider certifying third parties               end, we continually evaluate our AQI                  initiatives to identify more efficient
                                                  to provide AQI-related services.                        program in order to reduce costs and                  means of delivering AQI services.
                                                     In recent years, we contemplated                     identify more efficient means to deliver              However, we disagree with the
                                                  initiating rulemaking to establish such                 our services. For example, APHIS is                   commenters that the proposed rule
                                                  an accreditation system for inspection                  establishing a new Analysis and                       contradicts the policies set forth in the
                                                  and clearance services of imported                      Information Management Program. The                   Order. Nothing in the Order explicitly
                                                  commodities. However, we identified                     goal of this program will be to                       or implicitly prohibits agencies from
                                                  several issues that precluded us from                   coordinate analyses that will inform                  charging user fees for import or export-
                                                  issuing such a rule. First, there could in              program delivery in the areas of AQI                  related services. Additionally, Section 8
                                                  certain instances be a significant                      targeting, domestic surveys, and                      of the Order specifically states that it
                                                  financial incentive for the third party to              phytosanitary and trade management.                   does not affect the authority granted by
                                                  clear products for entry, even if they are              APHIS has also committed resources to                 law to an agency. As noted above,
                                                  infested or present a known plant pest                  expand the Agency’s involvement with                  discretionary authority has been granted
                                                  risk. Under this scenario, those under                  CBP’s Commercial Targeting and                        to APHIS under the FACT Act to charge
                                                  accreditation could realize a financial                 Analysis Center (CTAC), a facility                    user fees for AQI-related services, and to
                                                  benefit by clearing products that do not                designed to streamline and enhance                    set fees at a level that leads to full cost
                                                  meet U.S. phytosanitary requirements.                   Federal efforts to address import safety              recovery for those services.
                                                  Second, in order for this not to occur,                 issues. The CTAC combines the                            The same commenters stated that full
                                                  APHIS would need to exercise ongoing                    resources and manpower of CBP and                     deployment of ITDS would eliminate
                                                  oversight of the third party’s services.                other government agencies to protect the              the need for user fees.
                                                  This would, in turn, minimize the                       American public from harm caused by
                                                                                                                                                                   We disagree. While full deployment
                                                  benefits of such third party                            unsafe imported products by improving
                                                                                                                                                                of ITDS will facilitate certain AQI-
                                                  accreditation. That being said,                         communication and information-sharing
                                                                                                                                                                related services and could, over time,
                                                  consistent with OMB Circular A–76, we                   and reducing redundant inspection
                                                                                                                                                                reduce costs, certain of the services for
                                                  continue to explore ways to use third                   activities.
                                                                                                                                                                which we charge fees, such as
                                                  parties in order to provide AQI-related                    The fee schedule increases that we
                                                                                                                                                                inspection of regulated articles and
                                                  services.4                                              proposed do not supplant these efforts.
                                                                                                                                                                means of conveyance and oversight of
                                                     One commenter stated that, if the rule               However, under Federal policy, when
                                                                                                                                                                treatments, cannot be fully automated
                                                  were finalized, APHIS should                            we charge AQI user fees, we do so in a
                                                                                                                                                                and must be performed by authorized
                                                  coordinate with CBP in order to ensure                  manner to recover the cost of the
                                                                                                                                                                personnel.
                                                  that they receive cost recovery for the                 services rendered. The fee schedules
                                                                                                          that we proposed would move us closer                    One commenter stated that the rule
                                                  AQI services they render.                                                                                     appeared to target the commercial
                                                     APHIS agrees with the commenter.                     to such full cost recovery.
                                                                                                             If, at a future time, our ongoing efforts          aircraft industry. The commenter stated
                                                  We have worked closely with CBP to                                                                            that the industry is subject to frequent
                                                  ensure that costs are recovered for AQI                 to promote efficiencies and reduce costs
                                                                                                          in our AQI program result in significant              ‘‘holds’’ in which inspectors detain and
                                                  services and will continue to do so.                                                                          inspect commodities destined for inland
                                                     One commenter stated that, because                   cost savings, we will revise the fee
                                                                                                          schedules accordingly.                                hubs, and questioned the manner in
                                                  fumigators currently charge importers
                                                                                                             One commenter stated that GAO had                  which APHIS or CBP determines to
                                                  for their services, the proposed
                                                                                                          instructed us to reduce the fee reserve,              select a commodity for inspection. As
                                                  treatment fee was redundant and should
                                                                                                          and we should implement this                          evidence, the commenter cited an audit
                                                  not be finalized.
                                                                                                          recommendation.                                       in which an express consignment carrier
                                                     We disagree that the fee is redundant.
                                                                                                             The commenter is mistaken.                         was subject to 1,879 inspections during
                                                  Fumigators charge for the fumigant used
                                                                                                          Reduction of the fee reserve was not                  a 1-week period in 2013, with only 12
                                                  and their services in applying the
                                                                                                          among GAO’s recommendations.                          shipments being determined to be
                                                  treatment. The treatment fee that we
                                                                                                             Several commenters stated that the                 infested with plant pests. The
                                                  proposed was for our oversight of the
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                                                                                                          rule contradicted the policies set forth              commenter stated that this indicates
                                                  treatment to ensure that it was applied
                                                                                                          in Executive Order 13659,                             inefficiencies in the manner in which
                                                  accurately and the treated commodities
                                                                                                          ‘‘Streamlining the Export/Import                      APHIS and CBP conduct AQI-related
                                                  do not present a plant pest risk. The
                                                                                                          Process for America’s Businesses.’’                   inspections, and that a thorough
                                                  fumigation fee is charged to the
                                                                                                             That Executive Order directs Federal               reevaluation of our criteria for selecting
                                                    4 To view the circular, go to http://                 agencies to develop and implement the                 a commodity for inspection could
                                                  www.whitehouse.gov/omb/Circulars_a076_a76_              International Trade Data System (ITDS).               reduce Agency costs and reduce or
                                                  incl_tech_correction.                                   ITDS would provide a single portal for                eliminate the need to increase AQI user


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                                                  66774            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  fees for the commercial aircraft                        VIII:1 of the GATT, all fees and charges              analysis, APHIS ceased requiring
                                                  industry.                                               shall not represent an indirect                       fumigation on import shipments of
                                                     The number of times that the express                 protection to domestic products or a                  those specific flowers from the surveyed
                                                  consignment carrier was subject to                      taxation of imports or exports for fiscal             areas when unidentifiable Tetranychus
                                                  inspection and the relatively low                       purposes.                                             life stages are intercepted.
                                                  number of pest detections is not                           We disagree with the commenters’                      The same commenters stated that we
                                                  necessarily indicative of inefficiencies                assertion that the AQI user fees                      should consider implementing ‘‘trusted
                                                  in our inspection processes. The                        contravene NAFTA, the GATT, or the                    trader’’ practices into our AQI-related
                                                  commenter is using CBP enforcement                      United States-Chile FTA. Article 310 of               services. They stated that this could
                                                  metrics to determine efficiencies, that is,             NAFTA states that ‘‘No Party may adopt                allow us to devote personnel and
                                                  seizures resulting in shipments being                   any customs user fee of the type referred             resources to those shipments most likely
                                                  removed from the shipping continuum.                    to in Annex 310.1 for originating                     to present a plant pest risk.
                                                  However, these metrics are not                          goods,’’ and Annex 310.1 refers to a                     Many exporters broker products from
                                                  appropriate for assessing the                           specific fee—the merchandise                          numerous growers. Even very large
                                                  effectiveness of AQI inspections.                       processing fee—that has since been                    exporters who grow their export product
                                                  Furthermore, AQI strategies allow for                   eliminated for goods of Canada and                    may periodically augment shipments
                                                  shipments to be reconditioned, e.g., by                 Mexico. Thus, Article 310 of NAFTA                    with auxiliary growers’ material to make
                                                  means of fumigation and cleaning to                     does not speak to, let alone preclude,                expected volumes on deadline. These
                                                  mitigate risk of infestation and                        APHIS’ AQI user fees.                                 exporters cannot control conditions in
                                                  contamination. Such strategies ensure                      Similarly, Article VIII:1(a) of the                various growers’ fields that may raise or
                                                  that most shipments are allowed to                      GATT states, in its entirety, that ‘‘All              lower pest risk associated with the
                                                  continue to the consignee. Both APHIS                   fees and charges of whatever character                export crop (e.g. if pesticides were
                                                  and CBP employ risk-based modeling to                   (other than import and export duties                  applied properly, weeds are controlled,
                                                  determine which shipments to target for                 and other than taxes within the purview               or crops are rotated to reduce pest and
                                                  inspection. Factors that may lead to an                 of Article III) imposed by contracting                disease occurrence). This means that an
                                                  inspection include: The nature of the                   parties on or in connection with                      exporter’s currently low risk commodity
                                                  commodity; the region from which it is                  importation or exportation shall be                   could pose a considerably higher pest
                                                  imported; the compliance history of the                 limited in amount to the approximate                  risk next month. And, consequently,
                                                  importer; and incomplete, vague,                        cost of services rendered and shall not               exporters cannot ensure that all pests
                                                  erroneous, or illegible information on                  represent an indirect protection to                   are adequately excluded from their
                                                  accompanying documentation. That                        domestic products or a taxation of                    shipments.
                                                  being said, we are evaluating the                       imports or exports for fiscal purposes.’’                Therefore, for the reasons given in the
                                                  manner in which we conduct                              Article 3.12(a) of the United States-Chile            proposed rule and in this document, we
                                                  inspections of shipments destined to                    FTA uses language directly from Article               are adopting the proposed rule as a final
                                                  ECCFs in order to determine whether                     VIII:1(a) of the GATT. Because the AQI                rule, with the changes discussed in this
                                                  we can make our processes simpler and                   user fees are charged in connection with              document.
                                                  more efficient, and have engaged the                    services rendered by CBP and APHIS
                                                                                                                                                                Executive Orders 12866 and 13563 and
                                                  Express Association of America in this                  personnel and reflect the approximate
                                                                                                                                                                Regulatory Flexibility Act
                                                  evaluation.                                             costs to the agencies of providing those
                                                     One commenter stated that we should                  services, they are entirely permissible                  This final rule has been determined to
                                                  have reduced the airline passenger fee                  under Article VIII:1(a) of the GATT and               be economically significant for the
                                                  via an interim rule, rather than a                      Article 3.12(a) of the United States-Chile            purposes of Executive Order 12866 and,
                                                  proposed rule.                                          FTA.                                                  therefore, has been reviewed by the
                                                     We did not do so because we believe                     Several commenters stated that                     Office of Management and Budget.
                                                  that it is important for affected parties               APHIS should make more use of risk                       We have prepared an economic
                                                  to be afforded an opportunity to                        assessments in conducting AQI-related                 analysis for this rule. The economic
                                                  comment on significant proposed                         services.                                             analysis provides a cost-benefit analysis,
                                                  revisions to user fee schedules before                     We agree with the commenters that                  as required by Executive Orders 12866
                                                  they are finalized, even if these                       risk assessments are valuable tools that              and 13563, which direct agencies to
                                                  revisions would reduce burden on                        can enhance targeting, effectiveness,                 assess all costs and benefits of available
                                                  affected entities.                                      and efficiency when conducting AQI-                   regulatory alternatives and, if regulation
                                                     Some commenters stated that an                       related activities. APHIS routinely                   is necessary, to select regulatory
                                                  argument could be made that the                         analyzes pest risk posed by numerous                  approaches that maximize net benefits
                                                  imposition of the APHIS fees may                        potential pest pathways to the United                 (including potential economic,
                                                  contravene Article 310 of the North                     States to update and increase the                     environmental, public health and safety
                                                  American Free Trade Agreement                           effectiveness of its inspection targeting             effects, and equity). Executive Order
                                                  (NAFTA), which prohibits the adoption                   and quarantine action policies. For                   13563 emphasizes the importance of
                                                  of any customs user fees, and Article                   example, APHIS recently worked with                   quantifying both costs and benefits, of
                                                  VIII:1(a) of the General Agreement on                   South American and New Zealand cut                    reducing costs, of harmonizing rules,
                                                  Tariffs and Trade 1994 (the GATT),                      flower exporters to characterize the risk             and of promoting flexibility. The
                                                  which says that all fees and charges                    of immature, unidentifiable life stages of            economic analysis also provides a final
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                                                  shall not represent an indirect                         Tetranychus mites which are often                     regulatory flexibility analysis that
                                                  protection to domestic products or a                    intercepted on certain flowers. APHIS                 examines the potential economic effects
                                                  taxation of imports or exports for fiscal               analyzed results from comprehensive                   of this rule on small entities, as required
                                                  purposes. Another commenter stated                      surveys of export growing areas and                   by the Regulatory Flexibility Act. The
                                                  that APHIS fees may also contravene                     determined that the common two-                       economic analysis is summarized
                                                  Article 3.12 of the United States-Chile                 spotted spider mite was the only                      below. Copies of the full analysis are
                                                  Free Trade Agreement (FTA), which                       Tetranychus mite likely to be found on                available on the Regulations.gov Web
                                                  requires that, in accordance with Article               those flowers. As a result of that risk               site (see footnote 1 in this document for


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                                                                         Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                                                           66775

                                                  a link to Regulations.gov) or by                                           altering or removing certain fee caps.                                      introduction of pests or pathogens. The
                                                  contacting the person listed under FOR                                     We have determined that revised user                                        changes in user fees will more closely
                                                  FURTHER INFORMATION CONTACT.                                               fee categories and revised user fees are                                    align, by class, the cost of AQI services
                                                     APHIS was given authority by the                                        necessary to recover the costs of the                                       provided and user fee revenue received.
                                                  FACT Act, as amended, to prescribe and                                     current level of activity, to account for                                   The new fee schedule will better reflect
                                                  collect cost-based fees for providing AQI                                  actual and projected increases in the                                       the costs of AQI services provided to
                                                  services for inbound passengers,                                           cost of doing business, and to more                                         commercial cargo vessels, commercial
                                                  conveyances, and cargo at U.S. ports of                                    accurately align fees with the costs                                        trucks, commercial cargo railcars,
                                                  entry. AQI activities include inspection                                   associated with each fee service.                                           commercial aircraft, and international
                                                  of incoming conveyances, passengers,                                          AQI fees are mandated to be cost-
                                                                                                                                                                                                         air passengers arriving at U.S. ports;
                                                  and cargo; pest identification;                                            based and paid by the users of the AQI
                                                  monitoring and, at times, conducting of                                    services. In the RIA, benefits and costs                                    newly include fees for additional classes
                                                  treatments; and administering the                                          of the changes to the AQI user fee                                          of recipients of AQI services; remove
                                                  program’s finances, scientific research,                                   schedule are evaluated in accordance                                        user fee caps for commercial cargo
                                                  and policy development. In addition to                                     with Executive Orders 12866 and 13563.                                      vessels and commercial cargo railcars;
                                                  such activities, the FACT Act, as                                          Expected effects for small entities are                                     and increase the fee cap for commercial
                                                  amended, allows for the maintenance of                                     evaluated as required by the Regulatory                                     trucks. Fee caps refer to limits on the
                                                  a reasonable balance (reserve) in the                                      Flexibility Act.                                                            number of times a fee must be paid for
                                                  AQI user fee account.                                                         AQI services protect U.S. agricultural                                   a specific truck (with transponder),
                                                     APHIS is amending the user fee                                          and natural resources from the                                              cargo vessel, or cargo railcar in a
                                                  regulations by adding new fee categories                                   inadvertent introduction of foreign pests                                   calendar year. The current and new AQI
                                                  and adjusting current fees charged for                                     and diseases that may enter the country                                     user fee rates are shown in Table 13.
                                                  certain AQI services. We are also                                          and the threat of intentional

                                                                                                               TABLE 13—CURRENT AND NEW AQI USER FEE RATES
                                                                                                                                                           [Dollars]

                                                                                                                           User fee class                                                                                      Current      New

                                                  Air passenger ...........................................................................................................................................................         $5.00     $3.96
                                                  Commercial aircraft ..................................................................................................................................................            70.75    225.00
                                                  Commercial cargo vessel ........................................................................................................................................                 496.00    825.00
                                                  Commercial truck .....................................................................................................................................................             5.25      7.55
                                                  Commercial truck with transponder (one annual payment) ....................................................................................                                      105.00    301.67
                                                  Commercial cargo railcar .........................................................................................................................................                 7.75      2.00
                                                  Commercial vessel (cruise) passenger ...................................................................................................................                         no fee      1.75
                                                  Treatment 1 ..............................................................................................................................................................       no fee    237.00
                                                      1 The fee for AQI treatment services will be phased in over 5 years: First year, $47, second year, $95, third year, $142, fourth year, $190, and
                                                  fifth year, $237.


                                                     APHIS used the ABC methodology to                                       commercial trucks will be increased,                                        AQI services in FY 2015 would have
                                                  determine the rate adjustments for                                         however, and these businesses will pay                                      been reduced by $31.7 million,
                                                  classes that currently pay user fees and                                   in fees a larger share of the cost of the                                   assuming that the cost of AQI services,
                                                  the rates for newly charged classes. The                                   AQI services they receive.                                                  $957.6 million, would be the same with
                                                  two classes that will be newly charged                                        Changes under the new user fee                                           or without adoption of the new fee
                                                  user fees under the rule are commercial                                    schedule to AQI revenue and the AQI                                         schedule since the level of AQI services
                                                  vessel (cruise) passengers and recipients                                  reserve and modeled economic effects of                                     provided would not change. An
                                                  of AQI treatment services. Currently, the                                  the rule are illustrated for 3 years, FYs                                   estimated AQI program deficit of $54.2
                                                                                                                             2015–2017.5 Under the new fee                                               million under the current fee schedule
                                                  cost of AQI services received by these
                                                                                                                             structure, it is estimated that AQI user                                    would not be incurred.
                                                  entities is borne by other user fee classes
                                                                                                                             fee revenue for FY 2015 would have
                                                  and/or taxpayers through appropriated                                      been about $701.4 million, as compared                                        The reserve fund ensures that AQI
                                                  funding. Elimination of the user fee caps                                  to about $593.1 million under the                                           program operations can continue
                                                  for commercial cargo railcars and                                          current fee schedule, an increase of                                        without interruption when service
                                                  commercial cargo vessels will more                                         $108.3 million (Table 14). Given the                                        volumes fluctuate due to economic
                                                  closely align the user fee revenue                                         effective date of the final rule, USDA                                      conditions or other circumstances, and
                                                  received with the cost of providing AQI                                    will not collect revenues in FY 2015                                        APHIS and CBP can adjust their
                                                  services for these conveyances and rail                                    under the new fee schedule, but this                                        activities to account for the changed
                                                  and vessel cargo. We retain the cap for                                    comparison is included to show the                                          economic conditions. As there are fixed
                                                  commercial trucks with transponders                                        difference in the most recent year. If                                      costs related to providing AQI services
                                                  because of the increased efficiency                                        USDA collected revenues in FY 2015                                          that the program incurs, a reasonable
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                                                  gained through the use of transponders                                     under the new fee schedule, reliance on                                     reserve is needed to ensure continuity of
                                                  at border inspections. The cap for                                         appropriated funds to finance certain                                       service.




                                                    5 The 3-year period, FYs 2015–2017, is used to

                                                  show the likely magnitude of the changes to AQI
                                                  user fee and appropriated funding revenues.

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                                                  66776                  Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                     TABLE 14—ILLUSTRATIVE EXAMPLE OF AQI USER FEE REVENUE, APPROPRIATED AQI FUNDING UNDER THE CURRENT
                                                               AND NEW USER FEE SCHEDULES, AND COST OF AQI SERVICES, FY 2015, MILLION DOLLARS

                                                                                                                                                                                                    Current fee      New fee       Change
                                                                                                                                                                                                     schedule        schedule

                                                  AQI revenue:
                                                      User fees ..............................................................................................................................            $593.1         $701.4        $108.3
                                                      Appropriated funding ............................................................................................................                    310.3          278.6        ¥31.7
                                                  AQI total revenue .........................................................................................................................              903.4          980.1          76.7
                                                  AQI costs .....................................................................................................................................          957.6          957.6           0.0
                                                  AQI revenue minus costs ............................................................................................................                    ¥54.2            22.5          76.7
                                                    Note: The AQI user fee revenue and costs shown exclude overtime charges incurred in conjunction with AQI treatment services that are paid
                                                  for separately. The AQI user fee revenue and costs shown for the current fee schedule are reduced from what were reported in the preliminary
                                                  RIA for the proposed rule by $6.2 million, the estimated reimbursable overtime costs of AQI treatment services in FY 2015. Given the effective
                                                  date of the final rule, USDA will not collect revenues in FY 2015 under the new fee schedule, but this comparison is included to show the dif-
                                                  ference in the most recent year.


                                                    Respectively for FYs 2016 and 2017,                                      funding of AQI services is expected to                                 the AQI reserve fund.6 Estimated AQI
                                                  in comparison to current fee schedule                                      be smaller by $68.3 million and $65.3                                  revenue and costs summed over the 3
                                                  projections, AQI user fee revenue is                                       million. Net revenue of $27.9 million in                               years are shown in Table 15.
                                                  expected to be larger by $113.3 million                                    FY 2016 and $53.9 million in FY 2017
                                                  and $118.6 million, and appropriated                                       is expected to be available to maintain

                                                    TABLE 15—ESTIMATED AQI USER FEE REVENUE, APPROPRIATED AQI FUNDING UNDER THE CURRENT AND NEW USER
                                                                   FEE SCHEDULES, AND COST OF AQI SERVICES, FY 2015–17, MILLION DOLLARS
                                                                                                                                                                                                    Current fee      New fee       Change
                                                                                                                                                                                                     schedule        schedule

                                                  AQI revenue:
                                                      User fees ..............................................................................................................................          $1,842.3       $2,182.5       $340.2
                                                      Appropriated funding ............................................................................................................                  1,039.7          874.4       ¥165.3
                                                  AQI total revenue .........................................................................................................................            2,881.9        3,057.1        175.2
                                                  AQI costs .....................................................................................................................................        2,952.8        2,952.8          0.0
                                                  AQI revenue minus costs ............................................................................................................                    ¥70.9           104.3        175.2
                                                    Note: The AQI user fee revenue and costs shown exclude overtime charges incurred in conjunction with AQI treatment services that are paid
                                                  for separately. USDA will not collect revenues in FY 2015 under the new fee schedule.


                                                     We considered a number of                                               addition to the classes that will pay fees                             difficult to administer, at this time as
                                                  alternatives for revising the AQI user                                     under the rule.                                                        our system is not designed to allow for
                                                  fees. Some of the alternatives, such as                                       Under all three alternatives,                                       this. Pest import permits are normally
                                                  increasing all current fees by the same                                    commercial vessel (cruise) passengers                                  requested for research purposes.
                                                  percentage, were rejected because they                                     pay a user fee for services they receive                               Charging a fee for pest import permits,
                                                  clearly would not meet the objective of                                    that are currently funded by other AQI                                 which ABC analysis indicates would
                                                  better ensuring that the fees paid by                                      service recipients and/or through                                      need to be set at more than $2,000,
                                                  users in the various fee classes are                                       appropriated funding. In addition, the                                 could have the unintended consequence
                                                  commensurate with the costs of the AQI                                     preferred alternative newly includes                                   of discouraging research that directly
                                                  services provided for each class. Other                                    payment of fees by users of AQI                                        benefits U.S. agriculture. For these
                                                  alternatives were rejected because the                                     treatment services. Under alternative 2,                               reasons, APHIS decided against the
                                                  transaction costs of creating and                                          there would be no fee for AQI treatment                                selection of alternative 3.
                                                  operating fee collection systems for                                       services and the cost of providing these                                  In Table 16, we compare the
                                                  certain classes, such as bus passengers,                                   services would continue to be covered                                  cumulative estimated revenue changes
                                                  private vehicles, and pedestrians, would                                   by user fees paid by other classes. For                                over the 3 years for the alternatives.
                                                  be overly burdensome.                                                      this reason, alternative 2 was rejected                                Differences among the alternatives in
                                                     We then focused on three remaining                                      because AQI costs and revenues would                                   user fee and appropriated funding
                                                  alternatives composed of different                                         be less commensurate by class than                                     revenue are attributable to variations in
                                                  combinations of paying classes. The first                                  under the preferred alternative.                                       the user fee rates. In all cases, the
                                                  or preferred alternative is the rule, with                                    Alternative 3 would include user fees                               baseline for comparison is continuation
                                                  user fee classes as shown in Table 13.                                     for recipients of commodity import                                     of the current AQI user fee schedule.
                                                  The second alternative differs from the                                    permits and pest import permits, classes                               AQI services performed and the total
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                                                  first by not including user fees for                                       not charged fees under the preferred                                   cost of providing those services are the
                                                  recipients of AQI treatment services.                                      alternative. In these instances, APHIS                                 same under each alternative. All three
                                                  Under the third alternative, recipients of                                 found that there are overriding                                        alternatives ensure that the costs of
                                                  commodity import permits and pest                                          concerns. Charging a user fee for                                      providing AQI services are covered and
                                                  import permits would pay user fees, in                                     commodity import permits would be                                      the reserve fund is maintained.


                                                    6 All values in this RIA are nominal, that is, they

                                                  include projected inflation.


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                                                                         Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                                                                 66777

                                                   TABLE 16—CHANGES IN ESTIMATED AQI USER FEE REVENUE, APPROPRIATED AQI FUNDING, AND NET REVENUE UNDER
                                                            THE 3 ALTERNATIVE USER FEE SCHEDULES, SUMMED OVER FYS 2015–2017, MILLION DOLLARS

                                                                                                                                                                                                    Preferred
                                                                                                                                                                                                    alternative         Alternative 2       Alternative 3
                                                                                                                                                                                                       (rule)

                                                  AQI revenue                                                                                                                                                        —Million dollars—

                                                      User fees ........................................................................................................................                    $340.2              $208.1             $175.0
                                                      Appropriated funding ......................................................................................................                           ¥165.3              ¥84.9              ¥152.4
                                                  AQI total revenue ...................................................................................................................                      175.2               123.2               22.7
                                                  AQI costs ...............................................................................................................................                    0.0                 0.0                0.0
                                                  AQI revenue minus costs ......................................................................................................                             175.2               123.2               22.7
                                                     Note: Columns may not sum due to rounding.


                                                     Economic effects under each of the                                      of the commodities imported or the                                          modeled for APHIS by a contracted
                                                  three alternatives derive from the                                         price of an international ticket, and                                       consultancy.8 The impacts shown can
                                                  increase or reduction in costs borne by                                    therefore are expected to have negligible                                   be considered estimated upper-bound
                                                  affected importers and international                                       impact on imports or on the number of                                       effects because the AQI fees for air
                                                  passengers because of the changes in                                       international passengers. Estimated                                         passengers, commercial trucks (with
                                                  AQI user fees and concurrent reduced                                       changes in user fee revenue relative to                                     and without transponders), commercial
                                                  reliance on appropriated funding of AQI                                    the output of the affected sectors                                          vessel (cruise) passengers, and treatment
                                                  services. Impacts depend on the                                            represent, in total, a decline of about                                     services are lower than those that were
                                                  magnitude of the changes, and for                                          two-hundredths of one percent, and                                          set forth in the proposed rule and used
                                                  importers, on the ability of suppliers to                                  range from a decline of about six-                                          to model the output and employment
                                                  pass along or absorb the costs, and for                                    thousandths of one percent in the                                           effects. In addition, the AQI treatment
                                                  inbound international passengers, on                                       trucking industry to a decline of about                                     fee will be phased in over 5 years.
                                                  the ability of airlines and vessels to do                                  one-tenth of one percent in the airline                                        The model results indicate that U.S.
                                                  likewise. In theory, higher user fees                                      industry.7 We cannot determine what                                         output and employment would have
                                                  increase the cost of imports and the                                       will be the effect of the projected                                         declined under all three alternatives,
                                                  supplier may have incentive to send                                        reductions in appropriated funding of                                       with the smallest declines occurring
                                                  fewer goods to the United States or                                        AQI services, but observe that the                                          under the preferred alternative.
                                                  international passengers may have less                                     reductions may counterbalance the                                           Modeled output and employment effects
                                                  incentive to travel to the United States.                                  negligible impacts of the user fee                                          for FYs 2015–2017 are shown in the
                                                  Lower user fees, in theory, create the                                     increases to some extent.                                                   body of the RIA. We expect the
                                                  opposite incentives.                                                          Illustrative output and employment                                       economic effects of the user fee
                                                     The changes in user fees are very                                       impacts for FY 2015 under the three                                         revisions for several of the classes, if
                                                  small in comparison to the overall value                                   alternatives, shown in Table 17, were                                       they occur at all, to be extremely small.

                                                   TABLE 17—MODELED ILLUSTRATIVE SHORT-RUN EFFECTS FOR U.S. OUTPUT AND EMPLOYMENT OF THE 3 AQI USER FEE
                                                                                          ALTERNATIVES, FY 2015
                                                                                                                                                                                                                                           Change in
                                                                                                                                                                                                                Change in output          employment
                                                                                                                                                                                                                 (million dollars)           (jobs)

                                                  Preferred alternative (rule) .......................................................................................................................                     ¥$113                   ¥1,312
                                                  Alternative 2 .............................................................................................................................................               ¥119                   ¥1,337
                                                  Alternative 3 .............................................................................................................................................               ¥127                   ¥1,419



                                                     The fee increases themselves and the                                    and costs will be the principal outcomes                                    maintaining a reasonable reserve, as
                                                  newly charged fees for commercial                                          of the rule. For the 3 years, FYs 2015–                                     provided for under the statute. It also
                                                  vessel passengers and treatment services                                   2017, user fee funding of AQI services                                      means that a portion of appropriated
                                                  are not costs to the economy as a whole,                                   under the rule is estimated to be $340.2                                    funds that would be used to pay for AQI
                                                  but rather transfer payments. Transfer                                     million more and appropriated funding                                       services under the existing user fee
                                                  payments are monetary payments from                                        of AQI services is estimated to be $165.3                                   schedule will no longer be needed for
                                                  one group to another that do not affect                                    million less than would occur with                                          that purpose, resulting in a reduced
                                                  total resources available to society.                                      continuation of the current fee schedule.                                   demand for directly appropriately
                                                     The increase in user fee funding of                                       Increased reliance on user fee funding
                                                                                                                                                                                                         funding or the availability of additional
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                                                  AQI services, reduced reliance on                                          means that APHIS will more fully
                                                                                                                                                                                                         funds for other Federal uses. In the
                                                  appropriated funding, and closer                                           prescribe and collect cost-based fees for
                                                                                                                                                                                                         latter case, we are unable to determine
                                                  alignment, by class, of user fee revenues                                  providing AQI services, including
                                                    7 Short-run impacts of the proposed fee changes                          percent; cruise ship industry, 0.003 percent; and air                       methodology and data sources used by ABS
                                                  are estimated to represent the following percentage                        cargo and passenger industry, ¥0.102 percent.                               Consulting in modeling expected economic effects
                                                  changes from current output, by affected industry:                           8 ABS Consulting, ABS Group Consulting, Inc.,                             of the rule and alternatives. Appendix B reports
                                                  Trucking industry, ¥0.006 percent; rail industry,                          ABS Plaza, 16855 Northchase Drive, Houston, TX                              updated modeling results prepared by ABS
                                                  0.035 percent; vessel cargo industry, ¥0.005                               77060. Appendix A of the RIA explains the                                   Consulting in July 2013 that are used in the RIA.



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                                                  66778            Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations

                                                  how those appropriated funds that will                  has no retroactive effect; and (3) does                *       *    *     *    *
                                                  no longer be needed to pay for AQI                      not require administrative proceedings                     (d) * * * (1) * * *
                                                  services under the rule may otherwise                   before parties may file suit in court
                                                  be used. We are, however, fully                         challenging this rule.                                             Effective date                 Amount
                                                  confident in our application of the ABC
                                                                                                          Paperwork Reduction Act                                Beginning December 28, 2015 .......          $2
                                                  methodology in deriving the new AQI
                                                  user fees; this methodology has enabled                    This final rule contains no new
                                                  us to better ensure the fees are                        information collection or recordkeeping                *       *    *     *    *
                                                  commensurate with the costs of the AQI                  requirements under the Paperwork                           (e) * * * (1) * * *
                                                  services provided, as provided in the                   Reduction Act of 1995 (44 U.S.C. 3501
                                                                                                                                                                             Effective date                 Amount
                                                  FACT Act.                                               et seq.).
                                                     Firms most likely to be impacted by                                                                         Beginning December 28, 2015 .......         $225
                                                                                                          List of Subjects in 7 CFR Part 354
                                                  this rule are transportation businesses
                                                  within the truck, rail, sea, and air cargo                Animal diseases, Exports,                            *     *     *     *     *
                                                  sectors that import goods into the                      Government employees, Imports, Plant                     (f) Fee for inspection of international
                                                  United States and providers of treatment                diseases and pests, Quarantine,                        passengers. (1) Except as specified in
                                                  services. While the Small Business                      Reporting and recordkeeping                            paragraph (f)(2) of this section, each
                                                  Administration has set small-entity                     requirements, Travel and transportation                passenger aboard a commercial aircraft
                                                  standards for the transportation sectors,               expenses.                                              or cruise ship who is subject to
                                                  the size data do not distinguish between                  Accordingly, we are amending 7 CFR                   inspection under part 330 of this
                                                  transportation firms that operate                       part 354 as follows:                                   chapter or 9 CFR, chapter I, subchapter
                                                  internationally and those firms that only                                                                      D, upon arrival from a place outside of
                                                  operate within the United States. Most                  PART 354—OVERTIME SERVICES                             the customs territory of the United
                                                  businesses that will be affected by the                 RELATING TO IMPORTS AND                                States, must pay an AQI user fee. The
                                                  rule are likely to be small. We respond                 EXPORTS; AND USER FEES                                 AQI user fee will apply to tickets
                                                  in the RIA and final regulatory                                                                                purchased beginning December 28,
                                                  flexibility analysis to comments                        ■ 1. The authority citation for part 354               2015. The fees are shown in the
                                                  received from small-entity stakeholders                 continues to read as follows:                          following table:
                                                  and other businesses on possible effects                  Authority: 7 U.S.C. 7701–7772, 7781–7786,
                                                  of the rule on their operations.                        and 8301–8317; 21 U.S.C. 136 and 136a; 49               Effective dates 1   Passenger type        Amount
                                                  Executive Order 13175                                   U.S.C. 80503; 7 CFR 2.22, 2.80, and 371.3.
                                                                                                                                                                 Beginning De-        Commercial air-         $3.96
                                                    This rule has been reviewed in                        ■ 2. Section 354.3 is amended as
                                                                                                                                                                   cember 28,           craft.
                                                  accordance with the requirements of                     follows:                                                 2015.
                                                                                                          ■ a. In paragraph (b)(1), by removing the
                                                  Executive Order 13175, ‘‘Consultation                                                                          Beginning De-        Cruise ship .......      1.75
                                                  and Coordination with Indian Tribal                     words ‘‘, not to exceed 15 payments in                   cember 28,
                                                  governments.’’ Executive Order 13175                    a calendar year (i.e., no additional fee                 2015.
                                                  requires Federal agencies to consult and                will be charged for a 16th or subsequent                  1 Persons who issue international airline and
                                                  coordinate with tribes on a government-                 arrival in a calendar year),’’.                        cruise line tickets or travel documents are re-
                                                                                                          ■ b. By revising the tables in paragraphs              sponsible for collecting the AQI international
                                                  to-government basis on policies that
                                                  have Tribal implications, including                     (b)(1) and (c)(1).                                     airline passenger user fee and the inter-
                                                                                                          ■ c. In paragraph (c)(3)(i) introductory               national cruise ship passenger user fee from
                                                  regulations, legislative comments or                                                                           ticket purchasers. Issuers must collect the fee
                                                  proposed legislation, and other policy                  text, by removing the words ‘‘20 times’’
                                                                                                                                                                 applicable at the time tickets are sold. In the
                                                  statements or actions that have                         and adding the words ‘‘40 times’’ in                   event that ticket sellers do not collect the AQI
                                                  substantial direct effects on one or more               their place.                                           user fee when tickets are sold, the air carrier
                                                                                                          ■ d. By revising the tables in paragraphs              or cruise line must collect the user fee that is
                                                  Indian Tribes, on the relationship                                                                             applicable at the time of departure from the
                                                                                                          (d)(1) and (e)(1).
                                                  between the Federal Government and                                                                             passenger upon departure.
                                                                                                          ■ e. By revising paragraph (f)(1),
                                                  Indian Tribes or on the distribution of                                                                           (2) * * *
                                                                                                          including the table.
                                                  power and responsibilities between the                                                                            (i) Crew members onboard for
                                                                                                          ■ f. By adding paragraph (f)(2)(i).
                                                  Federal Government and Indian Tribes.                   ■ g. By revising paragraph (f)(8).                     purposes related to the operation of the
                                                  APHIS has assessed the impact of this                   ■ h. By adding paragraph (h).                          vessel;
                                                  rule on Indian Tribes and determined                      The revisions and addition read as
                                                  that this rule does not, to our                                                                                *      *     *    *     *
                                                                                                          follows:                                                  (8) Limitation on charges. Airlines
                                                  knowledge, have Tribal implications
                                                                                                                                                                 and cruise lines will not be charged
                                                  that require Tribal consultation under                  § 354.3 User fees for certain international
                                                                                                          services.                                              reimbursable overtime for passenger
                                                  EO 13175. If a Tribe requests
                                                                                                                                                                 inspection services required for any
                                                  consultation, APHIS will work with the                  *         *    *     *    *
                                                                                                                                                                 aircraft or cruise ship on which a
                                                  Office of Tribal Relations to ensure                          (b) * * * (1) * * *
                                                                                                                                                                 passenger arrived who has paid the
                                                  meaningful consultation is provided
                                                                                                                       Effective date                  Amount    international passenger AQI user fee for
                                                  where changes, additions, and
                                                                                                                                                                 that flight or cruise.
                                                  modifications identified herein are not
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                                                  expressly mandated by Congress.                         Beginning December 28, 2015 .......           $825     *      *     *    *     *
                                                                                                                                                                    (h) Fee for conducting and monitoring
                                                  Executive Order 12988                                   *         *    *     *    *                            treatments. (1) Each importer of a
                                                     This final rule has been reviewed                          (c) * * * (1) * * *                              consignment of articles that require
                                                  under Executive Order 12988, Civil                                                                             treatment upon arrival from a place
                                                  Justice Reform. This rule: (1) Preempts                              Effective date                  Amount    outside of the customs territory of the
                                                  all State and local laws and regulations                                                                       United States, either as a preassigned
                                                                                                          Beginning December 28, 2015 .......           $7.55
                                                  that are inconsistent with this rule; (2)                                                                      condition of entry or as a remedial


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                                                                   Federal Register / Vol. 80, No. 209 / Thursday, October 29, 2015 / Rules and Regulations                                              66779

                                                  measure ordered following the                                 (3) Collection of fees. (i) In cases                 (ii) AQI treatment user fees must be
                                                  inspection of the consignment, must pay                    where APHIS is not providing the AQI                 remitted to [address to be added in final
                                                  an AQI user fee. The AQI user fee is                       treatment and collecting the associated              rule] for receipt no later than 31 days
                                                  charged on a per-treatment basis, i.e., if                 fee, AQI user fees collected from                    after the close of the calendar quarter in
                                                  two or more consignments are treated                       importers pursuant to this paragraph                 which the AQI user fees were collected.
                                                  together, only a single fee will be                        shall be held in trust for the United                Late payments will be subject to
                                                  charged, and if a single consignment is                    States by the person collecting such                 interest, penalty, and handling charges
                                                  split or must be retreated, a fee will be                  fees, by any person holding such fees,               as provided in the Debt Collection Act
                                                  charged for each separate treatment                        or by the person who is ultimately                   of 1982, as amended by the Debt
                                                  conducted. The AQI user fee for each                       responsible for remittance of such fees              Collection Improvement Act of 1996 (31
                                                  treatment is shown in the following                        to APHIS. AQI user fees collected from               U.S.C. 3717).
                                                  table:                                                     importers shall be accounted for                        (iii) The remitter must mail with the
                                                                                                             separately and shall be regarded as trust            remittance a written statement to USDA,
                                                              Effective dates                     Amount
                                                                                                             funds held by the person possessing                  APHIS, AQI, PO Box 979044, St. Louis,
                                                  Beginning   December    28,   2015    .......        $47   such fees as agents, for the beneficial              MO 63197–9000. The statement must
                                                  Beginning   December    28,   2016    .......         95   interest of the United States. All such              include the following information:
                                                  Beginning   December    28,   2017    .......        142   user fees held by any person shall be                   (A) Name and address of the person
                                                  Beginning   December    28,   2018    .......        190   property in which the person holds only              remitting payment;
                                                  Beginning   December    28,   2019    .......        237   a possessory interest and not an                        (B) Taxpayer identification number of
                                                                                                             equitable interest. As compensation for              the person remitting payment;
                                                     (2) Treatment provider. (i) Private                     collecting, handling, and remitting the
                                                  entities that provide AQI treatment                                                                                (C) Calendar quarter covered by the
                                                                                                             AQI treatment user fees, the person                  payment; and
                                                  services to importers are responsible for                  holding such user fees shall be entitled
                                                  collecting the AQI treatment user fee                                                                              (D) Amount collected and remitted.
                                                                                                             to any interest or other investment
                                                  from the importer for whom the service                                                                             (iv) Remittances must be made by
                                                                                                             return earned on the user fees between
                                                  is provided. Treatment providers must                                                                           check or money order, payable in
                                                                                                             the time of collection and the time the
                                                  collect the AQI treatment fee applicable                                                                        United States dollars, through a United
                                                                                                             user fees are due to be remitted to
                                                  at the time the treatment is applied.                                                                           States bank, to ‘‘The Animal and Plant
                                                     (ii) When AQI treatment services are                    APHIS under this section. Nothing in
                                                                                                             this section shall affect APHIS’ right to            Health Inspection Service.’’
                                                  provided by APHIS, APHIS will collect
                                                                                                             collect interest from the person holding             *       *    *     *    *
                                                  the AQI treatment fee applicable at the
                                                  time the treatment is applied from the                     such user fees for late remittance.                    Done in Washington, DC, this 21st day of
                                                  person receiving the services.                                (4) Remittance and statement                      October 2015.
                                                  Remittances must be made by check or                       procedures. (i) The treatment provider               Gary Woodward,
                                                  money order, payable in United States                      that collects the AQI treatment user fee             Deputy Under Secretary for Marketing and
                                                  dollars, through a United States bank, to                  must remit the fee to USDA, APHIS,                   Regulatory Programs.
                                                  ‘‘The Animal and Plant Health                              AQI, PO Box 979044, St. Louis, MO                    [FR Doc. 2015–27363 Filed 10–28–15; 8:45 am]
                                                  Inspection Service.’’                                      63197–9000.                                          BILLING CODE 3410–34–P
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Document Created: 2015-12-14 15:21:26
Document Modified: 2015-12-14 15:21:26
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.
DatesEffective December 28, 2015.
ContactMs. Diane L. Schuble, AQI User Fee Coordinator, Office of the Executive Director-Policy Management, PPQ, APHIS, 4700 River Road, Unit 131, Riverdale, MD 20737 1231; (301) 851- 2338; Email: [email protected]
FR Citation80 FR 66747 
RIN Number0579-AD77
CFR AssociatedAnimal Diseases; Exports; Government Employees; Imports; Plant Diseases and Pests; Quarantine; Reporting and Recordkeeping Requirements and Travel and Transportation Expenses

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