81_FR_15102 81 FR 15048 - Takes of Marine Mammals Incidental To Specified Activities; Taking Marine Mammals Incidental To Implementation of a Test Pile Program in Anchorage, Alaska

81 FR 15048 - Takes of Marine Mammals Incidental To Specified Activities; Taking Marine Mammals Incidental To Implementation of a Test Pile Program in Anchorage, Alaska

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 81, Issue 54 (March 21, 2016)

Page Range15048-15063
FR Document2016-06251

In accordance with the regulations implementing the Marine Mammal Protection Act (MMPA) as amended, notification is hereby given that we have issued an incidental harassment authorization (IHA) to the Municipality of Anchorage (MOA) Port of Anchorage (POA) to incidentally harass four species of marine mammals during activities related to the implementation of a Test Pile Program, including geotechnical characterization of pile driving sites, near its existing facility in Anchorage, Alaska.

Federal Register, Volume 81 Issue 54 (Monday, March 21, 2016)
[Federal Register Volume 81, Number 54 (Monday, March 21, 2016)]
[Notices]
[Pages 15048-15063]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-06251]


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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

RIN 0648-XE251


Takes of Marine Mammals Incidental To Specified Activities; 
Taking Marine Mammals Incidental To Implementation of a Test Pile 
Program in Anchorage, Alaska

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

ACTION: Notice; issuance of an incidental harassment authorization.

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SUMMARY: In accordance with the regulations implementing the Marine 
Mammal Protection Act (MMPA) as amended, notification is hereby given 
that we have issued an incidental harassment authorization (IHA) to the 
Municipality of Anchorage (MOA) Port of Anchorage (POA) to incidentally 
harass four species of marine mammals during activities related to the 
implementation of a Test Pile Program, including geotechnical 
characterization of pile driving sites, near its existing facility in 
Anchorage, Alaska.

DATES: This authorization is effective from April 1, 2016, through 
March 31, 2017.

FOR FURTHER INFORMATION CONTACT: Robert Pauline, Office of Protected 
Resources, NMFS, (301) 427-8401.

SUPPLEMENTARY INFORMATION:

Availability

    An electronic copy of POA's application and supporting documents, 
as well as a list of the references cited in this document, may be 
obtained by visiting the Internet at: www.nmfs.noaa.gov/pr/permits/incidental/construction.htm. In case of problems accessing these 
documents, please call the contact listed above (see FOR FURTHER 
INFORMATION CONTACT).

Background

    Sections 101(a)(5)(A) and (D) of the MMPA (16 U.S.C. 1361 et seq.) 
direct the Secretary of Commerce to allow, upon request, the 
incidental, but not intentional, taking of small numbers of marine 
mammals by U.S. citizens who engage in a specified activity (other than 
commercial fishing) within a specified geographical region if certain 
findings are made and either regulations are issued or, if the taking 
is limited to harassment, a notice of a proposed authorization is 
provided to the public for review.
    Authorization for incidental takings shall be granted if NMFS finds 
that the taking will have a negligible impact on the species or 
stock(s), will not have an unmitigable adverse impact on the 
availability of the species or stock(s) for subsistence uses (where 
relevant), and if the permissible methods of taking and requirements 
pertaining to the mitigation, monitoring and reporting of such takings 
are set forth. NMFS has defined ``negligible impact'' in 50 CFR 216.103 
as ``an impact resulting from the specified activity that cannot be 
reasonably expected to, and is not reasonably likely to, adversely 
affect the species or stock through effects on annual rates of 
recruitment or survival.''
    Section 101(a)(5)(D) of the MMPA established an expedited process 
by which citizens of the U.S. can apply for an authorization to 
incidentally take small numbers of marine mammals by harassment. 
Section 101(a)(5)(D) establishes a 45-day time limit for NMFS' review 
of an application followed by a 30-day public notice and comment period 
on any proposed authorization for the incidental harassment of marine 
mammals. Within 45 days of the close of the comment period, NMFS must 
either issue or deny the authorization. Except with respect to certain 
activities not pertinent here, the MMPA defines ``harassment'' as ``any 
act of pursuit, torment, or annoyance which (i) has the potential to 
injure a marine mammal or marine mammal stock in the wild [Level A 
harassment]; or (ii) has the potential to disturb a marine mammal or 
marine mammal stock in the wild by causing disruption of behavioral 
patterns, including, but not limited to, migration, breathing, nursing, 
breeding, feeding, or sheltering [Level B harassment].''

Summary of Request

    On February 15, 2015, NMFS received an application from POA for the 
taking of marine mammals incidental to conducting a Test Pile Program 
as part of the Anchorage Port Modernization Project (APMP). POA 
submitted a revised application on November 23, 2015. NMFS determined 
that the application was adequate and complete on November 30, 2015. 
POA proposes to

[[Page 15049]]

install a total of 10 test piles as part of a Test Pile Program to 
support the design of the Anchorage Port Modernization Project (APMP) 
in Anchorage, Alaska. The Test Pile Program will also be integrated 
with a hydroacoustic monitoring program to obtain data that can be used 
to evaluate potential environmental impacts and meet future permit 
requirements. All pile driving is expected to be completed by July 1, 
2016. However, to accommodate unexpected project delays and other 
unforeseeable circumstances, the requested and proposed IHA period for 
the Test Pile Program is for the 1-year period from April 1, 2016, to 
March 31, 2017. Subsequent incidental take authorizations will be 
required to cover pile driving under actual construction associated 
with the APMP.
    The use of vibratory and impact pile driving is expected to produce 
underwater sound at levels that have the potential to result in 
behavioral harassment of marine mammals. Species with the expected 
potential to be present during the project timeframe include harbor 
seals (Phoca vitulina), Cook Inlet beluga whales (Delphinapterus 
leucas), and harbor porpoises (Phocoena phocoena). Species that may be 
encountered infrequently or rarely within the project area are killer 
whales (Orcinus orca) and Steller sea lions (Eumetopias jubatus).

Description of the Specified Activity

Overview

    We provided a description of the proposed action in our Federal 
Register notice announcing the proposed authorization (80 FR 78176; 
December 16, 2015). Please refer to that document; we provide only 
summary information here.
    The POA is modernizing its facilities through the APMP. Located 
within the MOA on Knik Arm in upper Cook Inlet (See Figure 1-1 in the 
Application), the existing 129-acre Port facility is currently 
operating at or above sustainable practicable capacity for the various 
types of cargo handled at the facility. The existing infrastructure and 
support facilities were largely constructed in the 1960s. They are 
substantially past their design life, have degraded to levels of 
marginal safety, and are in many cases functionally obsolete, 
especially in regards to seismic design criteria and condition. The 
APMP will include construction of new pile-supported wharves and 
trestles to the south and west of the existing terminals, with a 
planned design life of 75 years.
    An initial step in the APMP is implementation of a Test Pile 
Program, the specified activity for this IHA. The POA proposes to 
install a total of 10 test piles at the POA as part of a Test Pile 
Program to support the design of the APMP. The Test Pile Program will 
also be integrated with a hydroacoustic monitoring program to obtain 
data that can be used to evaluate potential environmental impacts and 
meet future permit requirements. Proposed Test Pile Program activities 
with potential to affect marine mammals within the waterways adjacent 
to the POA include vibratory and impact pile-driving operations in the 
project area.

Dates and Duration

    In-water work associated with the APMP Test Pile Program will begin 
no sooner than April 1, 2016, and will be completed no later than March 
31, 2017 (1 year following IHA issuance), but is expected to be 
completed by July 1, 2016. Pile driving is expected to take place over 
25 days and include 5 hours of vibratory driving and 17 hours of impact 
driving as is shown in Table 1. A 25 percent contingency has been added 
to account for delays due to weather or marine mammal shut-downs 
resulting in an estimated 6 hours of vibratory driving and 21 hours of 
impact driving over 31 days of installation. Restriking of some of the 
piles will occur two to three weeks following installation. 
Approximately 25 percent of pile driving will be conducted via 
vibratory installation, while the remaining 75 percent of pile driving 
will be conducted with impact hammers. Although each indicator pile 
test can be conducted in less than 2 hours, mobilization and setup of 
the barge at the test site will require 1 to 2 days per location and 
could be longer depending on terminal use. Additional time will be 
required for installation of sound attenuation measures, and for 
subsequent noise-mitigation monitoring. Hydroacoustic monitoring and 
installation of resonance-based systems or bubble curtains will likely 
increase the time required to install specific indicator pile from a 
few hours to a day or more.
    Within any day, the number of hours of pile driving will vary, but 
will generally be low. The number of hours required to set a pile 
initially using vibratory methods is about 30 minutes per pile, and the 
number of hours of impact driving per pile is about 1.5 hours. 
Vibratory driving for each test pile will occur on ten separate days. 
Impact driving could occur on any of the 31 days depending on a number 
of factors including weather delays and unanticipated scheduling 
issues. On some days, pile driving may occur only for an hour or less 
as bubble curtains and the containment frames are set up and 
implemented, resonance-based systems are installed, hydrophones are 
placed, pipe segments are welded, and other logistical requirements are 
handled.

                Table 1--Conceptual Project Schedule for Test Pile Driving, Including Estimated Number of Hours and Days for Pile Driving
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                 Number of
                                                                  Number of       hours,        Number of      Number of      Number of     Total number
            Month                  Pile type      Pile diameter     piles        vibratory    hours, impact   days of pile     days of       of days of
                                                                                  driving        driving        driving       restrikes     pile driving
--------------------------------------------------------------------------------------------------------------------------------------------------------
April-July 2016..............  Steel pipe......  48'' OD.......           10  5.............  17...........  21...........  4............  25.
                                                                             ---------------------------------------------------------------------------
                                                                                                          + 25% contingency =
                                                                             ---------------------------------------------------------------------------
                                                                              6 hours.......  21 hours.....  26 days......  5 days.......  31 days.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Notes: OD--outside diameter.

Specific Geographic Region

    The Municipality of Anchorage (MOA) is located in the lower reaches 
of Knik Arm of upper Cook Inlet. The POA sits in the industrial 
waterfront of Anchorage, just south of Cairn Point and north of Ship 
Creek (Latitude 61[deg]15' N., Longitude 149[deg]52' W.; Seward 
Meridian). Knik Arm and Turnagain Arm are the two branches of upper 
Cook Inlet and Anchorage is located where

[[Page 15050]]

the two Arms join (Figure 2-1 in the Application).

Comments and Responses

    A notice of NMFS' proposal to issue an IHA was published in the 
Federal Register on December 16, 2015 (80 FR 78176). During the 30-day 
public comment period, the Marine Mammal Commission (Commission) and 
Friends of Animals (FoA) each submitted letters. The Center for 
Biological Diversity (CBD) and The Humane Society of the U.S. (HSUS) 
submitted comments jointly. The letters are available at 
www.nmfs.noaa.gov/pr/permits/incidental/construction.htm. NMFS' 
responses to submitted comments are contained below.
    Comment 1: The Commission, FoA, and CBD/HSUS recommended that NMFS 
defer issuance of incidental take authorizations and regulations until 
it has better information on the cause or causes of the ongoing decline 
of beluga whales and has a reasonable basis for determining that 
authorizing takes by behavioral harassment would not contribute to 
further decline.
    Response: In accordance with our implementing regulations at 50 CFR 
216.104(c), NMFS uses the best available scientific information to 
determine whether the taking by the specified activity within the 
specified geographic region will have a negligible impact on the 
species or stock and will not have an unmitigable adverse impact on the 
availability of such species or stock for subsistence uses. Based on 
currently available scientific evidence, NMFS determined that the 
impacts of the Test Pile Program would meet these standards. Moreover, 
POA proposed and NMFS required a comprehensive mitigation plan to 
reduce impacts to Cook Inlet beluga whales and other marine mammals to 
the lowest level practicable.
    Our analysis utilizing best available information indicates that 
issuance of this IHA is not expected to, and is not reasonably likely 
to, adversely affect the species or stock through effects on annual 
rates of recruitment or survival. The ESA Biological Opinion determined 
that the issuance of an IHA is not likely to jeopardize the continued 
existence of the Cook Inlet beluga whales or destroy or adversely 
modify Cook Inlet beluga whale critical habitat. Based on the analysis 
of potential effects and the conservative mitigation and monitoring 
program, NMFS determined that the activity would have a negligible 
impact on the population.
    As additional research is conducted to determine the impact of 
various stressors on the Cook Inlet beluga whale population, NMFS will 
incorporate any findings into future negligible impact analyses 
associated with incidental take authorizations.
    Comment 2: The Commission recommended that NMFS develop a policy 
that sets forth clear criteria and/or thresholds for determining what 
constitutes small numbers and negligible impact for the purpose of 
authorizing incidental takes of marine mammals.
    Response: NMFS is in the process of developing both a clearer 
policy to outline the criteria for determining what constitutes ``small 
numbers'' and constructing an improved analytical framework for 
determining whether an activity will have a ``negligible impact'' for 
the purpose of authorizing takes of marine mammals. We fully intend to 
engage the MMC in these processes at the appropriate time.
    Comment 3: The Commission recommended that NMFS draft and finalize 
its programmatic environmental impact statement (PEIS) on the issuance 
of incidental take authorizations in Cook Inlet and establish annual 
limits on the total number and types of takes that are authorized for 
sound-producing activities in Cook Inlet. FoA wrote that NMFS should 
prepare an environmental impact statement before issuing any IHAs.
    Response: NMFS published a Federal Register Notice of Intent to 
Prepare a programmatic EIS for Cook Inlet (79 FR 61616; October 14, 
2014). We are continuing the process of developing the PEIS and will 
consider the potential authorization of take incidental to sound 
producing activities. The PEIS is meant to address hypothetical 
increasing future levels of activity in Cook Inlet which, cumulatively, 
may have a significant impact on the human environment. In the interim, 
NMFS is evaluating each activity individually, taking into 
consideration cumulative impacts, with an EA, to determine if the 
action under consideration can support a Finding of No Significant 
Impact (FONSI). For this IHA, NMFS determined that the Test Pile 
Program will not have a significant impact on the human environment, as 
specified in its FONSI.
    Comment 4: The Commission recommended that NMFS adopt a consistent 
approach when determining the potential number of takes of beluga 
whales in Cook Inlet for future incidental take authorization 
applications regarding sound-producing activities.
    Response: While NMFS strives for consistency where appropriate, it 
is important to note that there are a number of acceptable 
methodologies that can be employed to estimate take. Some methodologies 
may be more or less suitable depending upon the type, duration, and 
location of a given project. Furthermore, there may be available data 
that are applicable only within a localized area and not across the 
entirety of Cook Inlet. As such, NMFS makes determinations about the 
best available information, including the most appropriate 
methodologies to generate take estimates, on an action-specific basis.
    Comment 5: The Commission recommended that NMFS require POA to 
implement delay and shut-down procedures if a single beluga or five or 
more harbor porpoises or killer whales are observed approaching or 
within the Level B harassment zones for impact and vibratory pile 
driving, as has been done under recent IHAs that involved the use of 
airguns and sub-bottom profilers for seismic surveys, or provide 
sufficient justification regarding why implementation of those 
procedures is not necessary for the proposed activities.
    Response: NMFS, after engaging in consultation under section 7 of 
the ESA, has modified the Level B harassment shutdown requirement that 
was in the proposed IHA. Rather than shutdown for groups of five or 
more belugas or calves observed within or approaching the maximum 
potential Level B harassment zones (1,359 m and 3,981 m for impact and 
vibratory pile driving, respectively), the IHA will require a more 
stringent shutdown measure. POA must shut-down upon observation of a 
single beluga whale within or approaching the maximum potential Level B 
harassment zones when driving unattenuated piles, and within a modified 
zone when piles are driven using sound attenuation systems. See 
``Mitigation'' for more details of this shutdown requirement.
    As described in the notice of proposed authorization, NMFS will not 
require POA to shut down if five or more harbor porpoises or killer 
whales are observed approaching or within the Level B harassment zones 
for impact and vibratory pile driving. The assumed benefit of such a 
measure is not well understood, and shutting down during these rare 
occurrences risks seizing of the pile, in which the pile becomes stuck 
in the substrate. This may result in loss of 10% of the total data from 
the Test Pile Program and 100% of the data from the seized pile, which 
would greatly reduce the Program's usefulness. Depending on which pile 
seized it could represent complete data loss for a certain sound 
attenuation treatment

[[Page 15051]]

type (i.e. encapsulated bubble curtain and adBM resonance system). 
Since this data will be helpful to both POA and NMFS in the future to 
help assess impacts of future actions and inform development of 
mitigation that could have conservation value, NMFS does not want to 
risk losing this potentially valuable data.
    Comment 6: FoA commented that NMFS is in violation of the Marine 
Mammal Protection Act (MMPA) since that FoA believes large numbers of 
beluga whales will be harassed and that significant non-negligible 
impacts to whales will occur. CBD/HSUS commented that the small numbers 
analysis and negligible impact determination were deficient.
    Response: NMFS utilized the best available scientific evidence to 
determine whether the taking by the specified activity will have a 
negligible impact on the species or stock. NMFS determined that the 
impacts of the Test Pile Program would meet these standards. See the 
Analysis and Determinations section on Negligible Impact Analysis later 
in this Notice. Similarly, the Biological Opinion determined that the 
issuance of an IHA is not likely to jeopardize the continued existence 
of the Cook Inlet beluga whales or destroy or adversely modify Cook 
Inlet beluga whale critical habitat. Moreover, NMFS has required as 
part of the IHA a rigorous mitigation plan to reduce potential impacts 
to Cook Inlet beluga whales and other marine mammals to the lowest 
level practicable.
    Finally, we determined the Test Pile Program would take only small 
numbers of marine mammals relative to their population sizes. The 
number of belugas likely to be taken represents less than ten percent 
of the population. Some of these takes may represent single individuals 
experiencing multiple takes. In addition to this quantitative 
evaluation, NMFS has also considered the seasonal distribution and 
habitat use patterns of Cook Inlet beluga whales and rigorous 
mitigation requirements to determine that the number of beluga whales 
likely to be taken is small. See the Analyses and Determinations 
section later in this document for more information about the 
negligible impact and small numbers determinations for beluga whales 
and other marine mammal species for which take has been authorized.
    Comment 7: FoA and CBD/HSUS noted that the proposed activities 
would impact beluga habitat which is considered Type 1 or high value/
high sensitivity habitat. FoA is also concerned that if pile driving is 
not completed by July of 2016, the project's activities could overlap 
with the time period with the largest annual beluga presence.
    Response: The section on Anticipated Effects on Habitat found later 
in this notice describes in detail how the ensonified area during the 
Test Pile Program represents less than 1% of designated critical 
habitat in Area 1. Furthermore, the POA and adjacent navigation channel 
were excluded from critical habitat designation due to national 
security reasons (76 FR 20180, April 11, 2011).
    Although POA has requested that a one-year authorization period 
running from April 1, 2016 through March 31, 2017, POA intends to 
complete all Test Pile Program activities prior to July 1, 2016. If the 
Program extends beyond that date, note that NMFS' analysis and 
determination of authorized take levels are conservative in that they 
are based on the density of beluga whales during the summer months when 
concentrations are higher. Even though POA plans to start in spring and 
finish early summer, should pile driving extend past July 1, the take 
estimates presented here would likely be conservative. Therefore, 
continuation of planned pile driving beyond July 1, 2016 would not 
affect our determinations.
    Comment 8: NMFS stated that no apparent behavioral changes have 
been observed when belugas were sighted near construction activities 
including pile driving and dredging in Cook Inlet. As such, CBD/HSUS 
urged NMFS to obtain data on behavioral modifications in order to 
properly conduct its negligible impact determination. Furthermore, FoA 
noted that any effects may not always be visible to the naked eye or 
visible at all (e.g., internal injury). FoA stated that NMFS has not 
adequately accounted for the high mobility of beluga whales or 
unpredictability of being able to adequately observe these animals when 
the agency evaluated POA's request for an IHA and its mitigation and 
monitoring measures. FoA recommends that NMFS should do so before 
proceeding in making its decision.
    Response: Available data describing behavioral impacts associated 
with marine noise is limited in several ways according to Southall et 
al. 2007. Insufficient data exist to support criteria other than those 
based on SPL alone, and this metric fails to account for the duration 
of exposure beyond the difference between pulse and non-pulse sounds. 
Additionally, there is much variability in responses among species of 
the same functional hearing group and also within species. Because of 
the influences of numerous variables, behavioral responses are 
difficult to predict given present information. Furthermore, any 
biological significance of an observed behavioral response is extremely 
difficult to assess (NRC, 2005). Additional research is needed to 
quantify behavioral reactions of a greater number of free-ranging 
marine mammal species to specific exposures from different human sound 
sources. This is an area of increasing interest and as new data becomes 
available NMFS will incorporate this information into future 
assessments.
    NMFS also understands that observing every beluga whale that enters 
into the zones of influence may not be possible given the large size of 
the maximum potential vibratory pile driving Level B harassment zone 
(3,981 m). However, piles driven using sound attenuation systems are 
expected to have much smaller Level B harassment zones (approximately 
300-900 m; see ``Mitigation'' for further detail). Additionally, POA 
will employ a robust monitoring program which will include marine 
mammal observers (MMOs) in an elevated platform and personnel on 
hydroacoustic monitoring vessels. MMOs will have been trained in 
identifying changes in behavior that may occur due to exposure to pile 
driving activities. Furthermore, Level A harassment (injury) is not 
anticipated to occur due to the shutdown protocols required of POA. 
Given this information NMFS is confident POA can reliably monitor 
beluga whales in the zones of influence and identify and record 
behavioral impacts.
    Comment 9: FoA noted that anthropogenic noises can result in 
masking hindering the ability of whales to communicate. FoA also noted 
that anthropogenic activities can result in noise that can provoke 
temporary threshold shift (TTS) or permanent threshold shift (PTS) 
while NMFS stated in the proposed authorization that no marine mammals 
have been shown to experience TTS or PTS as a result of pile driving 
activities.
    Response: NMFS acknowledged in the proposed Federal Register notice 
that masking may occur due to anthropogenic sounds occurring in 
frequency ranges utilized by beluga whales. NMFS, however, believes 
that the short-term duration and limited affected area would not result 
in significant impacts from masking. NMFS wrote that although no marine 
mammals have been shown to experience TTS or PTS as a result of being 
exposed to pile driving activities, captive bottlenose dolphins and 
beluga

[[Page 15052]]

whales exhibited changes in behavior when exposed to strong pulsed 
sounds (Finneran et al., 2000, 2002, 2005). The animals tolerated high 
received levels of sound before exhibiting aversive behaviors. 
Experiments on a beluga whale showed that exposure to a single watergun 
impulse at a received level of 207 kPa (30 psi), which is equivalent to 
228 dB, resulted in a 7 and 6 dB TTS in the beluga whale at 0.4 and 30 
kHz, respectively. Thresholds returned to within 2 dB of the pre-
exposure level within four minutes of the exposure (Finneran et al., 
2002). Although the source level of pile driving from one hammer strike 
is expected to be much lower than the single watergun impulse cited 
here, animals exposed for a prolonged period to repeated hammer strikes 
could receive more sound exposure in terms of SEL than from the single 
watergun impulse (estimated at 188 dB re 1 [mu]Pa\2\-s) in the 
aforementioned experiment (Finneran et al., 2002). However, in order 
for marine mammals to experience TTS or PTS, the animals have to be 
close enough to be exposed to high intensity sound levels for a 
prolonged period of time. Based on the best scientific information 
available, NMFS finds that with mitigation protocols in place, 
including a 100 meter shut-down zone, sound pressure levels (SPLs) that 
marine mammals might reasonably be anticipated to experience as part of 
the Test Pile Program are below the thresholds that could result in TTS 
or the onset of PTS.
    Comment 10: FoA noted that NMFS did not evaluate cumulative impacts 
as part of its analysis. CBD/HSUS also urged NMFS to conduct an 
analysis of cumulative effects of construction and operation of the 
Anchorage Port Modernization Project (APMP).
    Response: Neither the MMPA nor NMFS' implementing regulations 
specify how to consider other activities and their impacts on the same 
populations when conducting a negligible impact analysis. However, 
consistent with the 1989 preamble for NMFS' implementing regulations 
(54 FR 40338, September 29, 1989), the impacts from other past and 
ongoing anthropogenic activities are incorporated into the negligible 
impact analysis via their impacts on the environmental baseline (e.g., 
as reflected in the density/distribution and status of the species, 
population size and growth rate, and ambient noise).
    In addition, cumulative effects were addressed in the EA and 
Biological Opinion prepared for this action. The APMP is specifically 
considered in the cumulative effects section of the EA. These 
documents, as well as the Alaska Marine Stock Assessments and the most 
recent abundance estimate for Cook Inlet beluga whales (Shelden et al., 
2015) are part of NMFS' Administrative Record for this action, and 
provided the decision maker with information regarding other activities 
in the action area that affect marine mammals, an analysis of 
cumulative impacts, and other information relevant to the determination 
made under the MMPA.
    Comment 11: FoA commented that issuing the IHA would violate the 
Endangered Species Act as a permit (IHA) cannot be issued if taking 
will appreciably reduce the likelihood of survival and recovery of the 
species in the wild. Additionally, FoA believes that mitigation of 
noise and other impacts do not go far enough to fully protect the Cook 
Inlet beluga whales from the many threats facing them.
    Response: NMFS' Biological Opinion concluded that the issuance of 
an IHA is not likely to jeopardize the continued existence of the Cook 
Inlet beluga whales or destroy or adversely modify Cook Inlet beluga 
whale critical habitat. NMFS has revised its IHA requirements to 
require shutdown upon observation of one beluga whale within or 
approaching the area expected to contain sound exceeding NMFS' criteria 
for Level B harassment. See response to comment #8. NMFS acknowledges 
the difficulties of monitoring in the field, particularly at long 
distances. However, NMFS believes the required mitigation and related 
monitoring satisfy the requirements of the MMPA.
    Comment 12: FoA stated that issuing the IHA would violate NEPA as 
NMFS did not prepare an EIS.
    Response: The purpose of an EA is to evaluate the environmental 
impacts of an action and determine if a proposed action or its 
alternatives have potentially significant environmental effects. The EA 
process concludes with either a Finding of No Significant Impact or a 
determination to prepare an Environmental Impact Statement. NMFS issued 
a Finding of No Significant Impact (FONSI) detailing the reasons why 
the agency has determined that the action will have no significant 
impacts.
    Comment 13: FoA commented that NMFS must include a discussion of 
ethics and the rights of wildlife when assessing the potential 
harassment of marine life.
    Response: NMFS' does not have authority under section 101(a)(5)(D) 
of the MMPA to consider these issues in making a decision. As enacted 
by Congress, our only authority under that provision is to evaluate the 
specified activity to determine if it will have a negligible impact on 
the affected species or stocks and no unmitigable adverse impact on 
marine mammal availability for relevant subsistence uses. If those 
standards are met and the expected take is limited to small numbers of 
marine mammals, NMFS must issue an IHA that contains the required 
mitigation, monitoring, and reporting requirements.
    Comment 14: CBD/HSUS recommended that NMFS issue and finalize a 
draft recovery plan as is required under the Endangered Species Act 
(ESA) and not issue an IHA until this has occurred.
    Response: The Cook Inlet Beluga Whale Recovery Plan is currently 
under development and NMFS is working towards its completion. A final 
recovery plan is not required for issuance of the IHA.
    Comment 15: CBD/HSUS urged NMFS not to issue an IHA until the 
agency adopts a comprehensive monitoring plan.
    Response: The commenter did not explain what it meant by 
``comprehensive monitoring plan.'' However, NMFS has conducted aerial 
monitoring surveys of beluga whales in Cook Inlet on an annual basis 
since 1993 and this monitoring is likely to continue in the foreseeable 
future. Furthermore, an important component of the Draft Cook Inlet 
Beluga Whale Recovery Plan includes comprehensive population 
monitoring. Under the draft recovery plan, NMFS would continue to 
conduct aerial and photo-identification surveys to estimate abundance, 
and analyze population trends, calving rates, and distribution.
    Comment 16: CBD/HSUS argue that NMFS improperly estimated take by 
using data from only summer months when the IHA is authorized for a 
one-year period. CBD/HSUS also allege that NMFS underestimated the size 
of the group factor which was included in the final take estimation.
    Response: The predictive beluga habitat model described in Goetz et 
al. 2012 was used by POA and NMFS to estimate density. This is 
considered to be the best information available, and incorporates 
National Marine Mammal Laboratory data collected during the months of 
June and July between 1994 and 2008. There is no data of similar 
quality available for the spring and early summer time frame. The 
authorized take estimates for the Test Pile Program were based on the 
assumption that pile-driving operations would take place between April 
1 and July 1, 2016 and that beluga density outside the June-July period 
would be lower. Therefore, NMFS considers the use of the Goetz et al. 
2012 summer data to estimate take

[[Page 15053]]

for the April 1 through July 1 period to be conservative and 
appropriate.
    The section on Estimated Take by Incidental Harassment later in 
this document explains why the density data used for estimating 
potential beluga exposures does not fully reflect the nature of local 
beluga occurrence and also provides a statistically defensible 
justification for the size of the large group factor which was selected 
by NMFS. Note that while larger groups of beluga whales have frequently 
been observed in Cook Inlet, NMFS' finding is based on groups that were 
actually observed near POA.
    Comment 17: CBD/HSUS stated that it is inappropriate for NMFS to 
use the current, outdated, generic sound thresholds of 180 dB and 160/
120dB levels (impact/non-impact) as thresholds for Level A and Level B 
harassment when it has already developed a more appropriate method. As 
such, the agency should not issue IHAs until it has completed its 
revision of acoustic thresholds for Level B take.
    Response: NMFS currently uses 160 dB root mean square (rms) as the 
exposure level for estimating Level B harassment takes from impulse 
sounds for most species in most cases. This threshold was established 
for underwater impulse sound sources based on measured avoidance 
responses observed in whales in the wild. Specifically, the 160 dB 
threshold was derived from data for mother-calf pairs of migrating gray 
whales (Malme et al., 1983, 1984) and bowhead whales (Richardson et 
al., 1985, 1986) responding to seismic airguns (e.g., impulsive sound 
source). We acknowledge there is more recent information bearing on 
behavioral reactions to seismic airguns, but those data only illustrate 
how complex and context-dependent the relationship is between the two. 
The 120 dB re 1[micro]Pa (rms) threshold for noise originates from 
research on baleen whales, specifically migrating gray whales (Malme et 
al. 1984; predicted 50% probability of avoidance) and bowhead whales 
reacting when exposed to industrial (i.e., drilling and dredging) 
activities (non-impulsive sound source) (Richardson et al. 1990). NMFS 
is working to develop guidance to help determine Level B harassment 
thresholds. Note, however, it is not a matter of merely replacing the 
existing threshold with a new one. Due to the complexity of the task, 
any guidance will require a rigorous review that includes internal 
agency review, public notice and comment, and additional external peer 
review before any final product is published. In the meantime, and 
taking into consideration the facts and available science, NMFS 
determined it is reasonable to use the 160 dB threshold for impact 
sources for estimating takes of marine mammals in Cook Inlet by Level B 
harassment and the 120 dB threshold for vibratory sources.
    With regard to injury, NMFS is developing Guidance for Assessing 
the Effects of Anthropogenic Sound on Marine Mammal Hearing. 
Specifically, it will identify the received levels, or acoustic 
thresholds, above which individual marine mammals are predicted to 
experience changes in their hearing sensitivity (either temporary or 
permanent) for acute exposure to underwater anthropogenic sound 
sources. That Guidance is undergoing an extensive process involving 
peer review and public comment, and is expected to be finalized 
sometime in 2016. See 80 FR 45642 (July 31, 2015).

Description of Marine Mammals in the Area of the Specified Activity

    There are five marine mammal species known to occur in the vicinity 
of the project area. These are the Cook Inlet beluga whale, killer 
whale, Steller sea lion, harbor porpoise, and harbor seal.
    We reviewed POA's detailed species descriptions, including life 
history information, for accuracy and completeness and refer the reader 
to Section 3 of POA's application as well as our notice of proposed IHA 
published in the Federal Register (80 FR 78176; December 16, 2015) 
instead of reprinting the information here. Please also refer to NMFS' 
Web site (www.nmfs.noaa.gov/pr/species/mammals) for generalized species 
accounts which provide information regarding the biology and behavior 
of the marine resources that occur in the vicinity of the project area.
    Table 2 lists marine mammal stocks that could occur in the vicinity 
of the project that may be subject to harassment and summarizes key 
information regarding stock status and abundance. Please see NMFS' 
Stock Assessment Reports (SAR), available at www.nmfs.noaa.gov/pr/sars, 
for more detailed accounts of these stocks' status and abundance.

               Table 2--Marine Mammals in the Project Area
------------------------------------------------------------------------
       Species or DPS *             Abundance             Comments
------------------------------------------------------------------------
Cook Inlet beluga whale         312 \a\..........  Occurs in the project
 (Delphinapterus leucas).                           area. Listed as
                                                    Depleted under the
                                                    MMPA, Endangered
                                                    under ESA.
Killer (Orca) whale (Orcinus    2,347 Resident     Occurs rarely in the
 orca).                          587 Transient\b\.  project area. No
                                                    special status or
                                                    ESA listing.
Harbor porpoise (Phocoena       31,046 \c\.......  Occurs occasionally
 phocoena).                                         in the project area.
                                                    No special status or
                                                    ESA listing.
Harbor seal (Phoca vitulina)..  27,386 \d\.......  Occurs in the project
                                                    area. No special
                                                    status or ESA
                                                    listing.
Steller sea lion (Eumetopias    49,497 \e\.......  Occurs rarely within
 jubatus).                                          the project area.
                                                    Listed as Depleted
                                                    under the MMPA,
                                                    Endangered under
                                                    ESA.
------------------------------------------------------------------------
* DPS refers to distinct population segment under the ESA, and is
  treated as a species.
\a\ Abundance estimate for the Cook Inlet stock. Allen and Angliss,
  2015; Shelden et al., 2015.
\b\ Abundance estimate for the Eastern North Pacific Alaska Resident
  stock; the estimate for the transient population is for the Gulf of
  Alaska, Aleutian Islands, and Bering Sea stock.
\c\ Abundance estimate for the Gulf of Alaska stock.
\d\ Abundance estimate for the Cook Inlet/Shelikof stock.
\e\ Abundance estimate for the Western U.S. Stock.
Sources for populations estimates other than Cook inlet beluga whales:
  Allen and Angliss 2013, 2014, 2015.

Potential Effects of the Specified Activity on Marine Mammals

    The Federal Register notice of proposed authorization (80 FR 78176; 
December 16, 2015) provides a general background on sound relevant to 
the specified activity as well as a detailed description of marine 
mammal hearing and of the potential effects of these construction 
activities on marine mammals, and is not repeated here.

[[Page 15054]]

Anticipated Effects on Habitat
    We described potential impacts to marine mammal habitat in detail 
in our Federal Register notice of proposed authorization. The proposed 
Test Pile Program will not result in permanent impacts to habitats used 
by marine mammals. Pile installation may temporarily increase turbidity 
resulting from suspended sediments. Any increases would be temporary, 
localized, and minimal. POA must comply with state water quality 
standards during these operations by limiting the extent of turbidity 
to the immediate project area. In general, turbidity associated with 
pile installation is localized to about a 25-foot radius around the 
pile (Everitt et al. 1980). Cetaceans are not expected to be close 
enough to the project site driving areas to experience effects of 
turbidity, and any pinnipeds will be transiting the terminal area and 
could avoid localized areas of turbidity. Therefore, the impact from 
increased turbidity levels is expected to be discountable to marine 
mammals. The proposed Test Pile Program will result in temporary 
changes in the acoustic environment. Marine mammals may experience a 
temporary loss of habitat because of temporarily elevated noise levels. 
The most likely impact to marine mammal habitat would be minor impacts 
to the immediate substrate during installation of piles during the 
proposed Test Pile Program. The Cook Inlet beluga whale is the only 
marine mammal species in the project area that has critical habitat 
designated in Cook Inlet. NMFS has characterized the relative value of 
four habitats as part of the management and recovery strategy in its 
Final Conservation Plan for the Cook Inlet beluga whale (NMFS 2008a). 
These are sites where beluga whales are most consistently observed, 
where feeding behavior has been documented, and where dense numbers of 
whales occur within a relatively confined area of the inlet. Type 1 
Habitat is termed ``High Value/High Sensitivity'' and includes what 
NMFS believes to be the most important and sensitive areas of the Cook 
Inlet for beluga whales. Type 2 Habitat is termed ``High Value'' and 
includes summer feeding areas and winter habitats in waters where 
whales typically occur in lesser densities or in deeper waters. Type 3 
Habitat occurs in the offshore areas of the mid and upper inlet and 
also includes wintering habitat. Type 4 Habitat describes the remaining 
portions of the range of these whales within Cook Inlet. The habitat 
that will be directly impacted from Test Pile activities at the POA is 
considered Type 2 Habitat, though excluded from the critical habitat 
designation due to national security considerations.
    Note that the amount of critical habitat impacted by the Test Pile 
Program is relatively small. The POA is planning to install test piles 
at 6 locations arranged on a roughly north-south alignment. The maximum 
overlap with critical habitat to the north is 1,677 acres (6.79 sq. km; 
2.62 sq. mi.), and the maximum overlap to the south is 2,113 acres 
(8.55 sq. km; 3.3 sq. mi.), depending on pile location. The two maxima 
will not occur at the same time because pile installation will only 
take place at one pile at a time; the northern-most maximum is for the 
northern-most pile, and the southern-most maximum is for the southern-
most pile. As pile location changes, the ensonified area on one side 
decreases as it increases on the other side. Pile installation in the 
center of the north-south alignment will ensonify the smallest area of 
critical habitat. The area excluded due to national security was not 
included in these measurements. For all pile locations, the temporarily 
ensonified area represents less than 1% of designated critical habitat.
    Beluga whales have been observed most often in the POA area at low 
tide in the fall, peaking in late August to early September (Markowitz 
and McGuire 2007; Cornick and Saxon-Kendall 2008). Although the POA 
scientific monitoring studies indicate that the area is not used 
frequently by many beluga whales, individuals and sometimes large 
groups of beluga whales have been observed passing through the area 
when traveling between lower and upper Knik Arm. Diving and traveling 
have been the most common behaviors observed, with instances of 
confirmed feeding. However, the most likely impact to marine mammal 
prey from the proposed Test Pile Program will be temporary avoidance of 
the immediate area. In general, the nearer the animal is to the source 
the higher the likelihood of high energy and a resultant effect (such 
as mild, moderate, mortal injury). Affected fish would represent only a 
small portion of food available to beluga whales in the area. The 
duration of fish avoidance of this area after pile driving stops is 
unknown, but a rapid return to normal recruitment, distribution, and 
behavior is anticipated. Any behavioral avoidance by fish of the 
disturbed area will still leave significantly large areas of fish and 
marine mammal foraging habitat in Knik Arm. Therefore, impacts to 
beluga prey species are likely to be minor and temporary.
    In summary, the long-term effects of any prey displacements are not 
expected to affect the overall fitness of the Cook Inlet beluga whale 
population or other affected species; effects will be minor and will 
terminate after cessation of the proposed Test Pile Program. Due to the 
short duration of the activities and the relatively small area of the 
habitat affected, the impacts to marine mammal habitat are not expected 
to cause significant or long-term negative consequences for individual 
marine mammals or their populations, including Cook Inlet beluga 
whales.

Mitigation

    In order to issue an IHA under section 101(a)(5)(D) of the MMPA, 
NMFS must set forth the permissible methods of taking pursuant to such 
activity, ``and other means of effecting the least practicable impact 
on such species or stock and its habitat, paying particular attention 
to rookeries, mating grounds, and areas of similar significance, and on 
the availability of such species or stock for taking'' for certain 
subsistence uses.
    Measurements from similar pile driving events were utilized to 
estimate zones of influence (ZOI; see ``Estimated Take by Incidental 
Harassment''). ZOIs are often used to establish a mitigation zone 
around each pile (when deemed practicable) and to identify where Level 
A harassment to marine mammals may occur, and also provide estimates of 
the areas Level B harassment zones. ZOIs may vary between different 
diameter piles and types of installation methods. POA will employ the 
following mitigation measures, which were contained in the notice of 
proposed IHA with modifications as noted here:
    (a) Conduct briefings between construction supervisors and crews, 
marine mammal monitoring team, and POA staff prior to the start of all 
pile driving activity, and when new personnel join the work, in order 
to explain responsibilities, communication procedures, marine mammal 
monitoring protocol, and operational procedures.
    (b) For in-water heavy machinery work other than pile driving 
(using, e.g., standard barges, tug boats, barge-mounted excavators, or 
clamshell equipment used to place or remove material), if a marine 
mammal comes within 10 m, operations shall cease and vessels shall 
reduce speed to the minimum level required to maintain steerage and 
safe working conditions. This type of work could include the following 
activities: (1) movement of the barge to the pile location or (2) 
positioning of the pile on the substrate via a crane (i.e., stabbing 
the pile).

[[Page 15055]]

    Time Restrictions--Work would occur only during daylight hours, 
when visual monitoring of marine mammals can be conducted.
    Establishment of Monitoring and Shutdown Zones--Monitoring zones 
(ZOIs) are the areas in which SPLs would be expected to equal or exceed 
160 dB rms for impact driving and 125 dB rms for vibratory driving. 
Note that 125 dB has been established as the appropriate isopleth for 
Level B harassment zone associated with vibratory driving since ambient 
noise levels near the POA are likely to be above 120 dB rms and this 
value has been used previously as a threshold in this area. Note that 
POA's acoustic monitoring plan includes collection of data to verify 
the level of background noise in the vicinity of POA. Monitoring of 
these zones enables observers to be aware of and communicate the 
presence of marine mammals in the project area. The primary purpose of 
monitoring these zones is for documenting potential incidents of Level 
B harassment, although here we require more stringent measures 
associated with beluga whale occurrence in the monitoring zone (see 
shutdown zone, below). Nominal predicted radial distances for driving 
piles with and without the use of sound attenuation systems are shown 
in Table 3. The attenuated zones are calculated assuming 10 dB noise 
reduction provided by the encapsulated bubble system and adBM resonance 
system treatments (CalTrans, 2012; note that the resonance system is 
expected to provide greater attenuation than would the bubble system, 
making this a conservative assumption for use of that system). Test 
Pile Program results will provide more precise information on actual 
levels of attenuation attained. We discuss monitoring objectives and 
protocols in greater depth in ``Monitoring and Reporting.''

  Table 3--Distances in Meters to NMFS' Level A (Injury) and Level B Harassment Thresholds (Isopleths) for Unattenuated and Attenuated 48-Inch-Diameter
                                                     Pile, Assuming a 125-dB Background Noise Level
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                             Impact                                                    Vibratory
                                  ----------------------------------------------------------------------------------------------------------------------
                                    Pinniped, Level A   Cetacean, Level A  Level B Harassment   Pinniped, Level A   Cetacean, Level A       Level B
      Pile diameter (inches)             Injury              Injury       --------------------       Injury              Injury            Harassment
                                  ----------------------------------------                    ----------------------------------------------------------
                                         190 dB              180 dB              160 dB              190 dB              180 dB              125 dB
--------------------------------------------------------------------------------------------------------------------------------------------------------
48, unattenuated.................  14 m..............  63 m..............  1,359 m...........  <10 m.............  <10 m.............  3,981 m.
48, 10 dB Attenuation............  <10 m.............  13 m..............  293 m.............  <10 m.............  <10 m.............  858 m.
--------------------------------------------------------------------------------------------------------------------------------------------------------

    In order to document potential incidents of harassment, monitors 
will record all marine mammal observations regardless of location. The 
observer's location, as well as the location of the pile being driven, 
is known from a global positioning system (GPS). The location of the 
animal is estimated as a distance from the observer, which is then 
compared to the location from the pile and the ZOIs for relevant 
activities (i.e., pile installation). This information may then be used 
to extrapolate observed takes to reach an approximate understanding of 
actual total takes, in the event that the entire monitoring zone is not 
visible.
    Soft Start--The use of a soft start procedure is believed to 
provide additional protection to marine mammals by warning or providing 
a chance to leave the area prior to the hammer operating at full 
capacity, and typically involves a requirement to initiate sound from 
the hammer for 15 seconds at reduced energy followed by a waiting 
period. This procedure is repeated two additional times. It is 
difficult to specify the reduction in energy for any given hammer 
because of variation across drivers and, for impact hammers, the actual 
number of strikes at reduced energy will vary because operating the 
hammer at less than full power results in ``bouncing'' of the hammer as 
it strikes the pile, resulting in multiple ``strikes.'' The project 
will utilize soft start techniques for both impact and vibratory pile 
driving. POA will initiate sound from vibratory hammers for fifteen 
seconds at reduced energy followed by a 1 minute waiting period, with 
the procedure repeated two additional times. For impact driving, we 
require an initial set of three strikes from the impact hammer at 
reduced energy, followed by a thirty-second waiting period, then two 
subsequent three strike sets. Soft start will be required at the 
beginning of each day's pile driving work and at any time following a 
cessation of pile driving of 20 minutes or longer (specific to either 
vibratory or impact driving).

Monitoring and Shut-Down for Pile Driving

    The following measures will apply to POA:
    Shut-down Zone--For all pile driving activities, POA will establish 
a shut-down zone. Shut-down zones typically correspond to the area in 
which SPLs equal or exceed the 180/90 dB rms acoustic injury criteria, 
with the purpose being to define an area within which shut-down of 
activity would occur upon sighting of a marine mammal (or in 
anticipation of an animal entering the defined area), thus preventing 
potential injury of marine mammals. For marine mammals other than 
beluga whales, POA, will implement a minimum shut-down zone of 100 m 
radius around all vibratory and impact pile activity. These 
precautionary measures would also further reduce the possibility of 
auditory injury and behavioral impacts as well as limit the unlikely 
possibility of injury from direct physical interaction with 
construction operations.
    Shut-down for Beluga Whales--In order to provide more stringent 
protections for beluga whales, in-water pile driving operations will be 
shut down upon observation of any beluga whale within or approaching 
the maximum potential Level B harassment zone when driving unattenuated 
piles (1,400 m and 4,000 m for impact and vibratory pile driving, 
respectively). When driving piles with sound attenuation systems, POA 
will shutdown upon observation of whales within or approaching a 
smaller zone that NMFS expects would contain sound exceeding relevant 
harassment criteria (300 m and 900 m for impact and vibratory pile 
driving, respectively). Two of ten piles will be driven without use of 
sound attenuation systems. If shut down does occur, pile driving may 
not resume until the group is observed exiting the relevant shut down 
zone or until 30 minutes have passed without re-sighting.
    Visual Marine Mammal Observation--POA will collect sighting data 
and behavioral responses to

[[Page 15056]]

construction for marine mammal species observed in the region of 
activity during the period of activity. All observers will be trained 
in marine mammal identification and behaviors and are required to have 
no other construction-related tasks while conducting monitoring. POA 
will monitor the shut-down zone and disturbance zones before, during, 
and after pile driving, with observers located at the best practicable 
vantage points.
    At all times, POA will be required to monitor the maximum predicted 
Level B zones, regardless of sound attenuation system used. Although 
the zones employed for shutdown purposes in association with driving of 
attenuated piles are calculated assuming a 10 dB reduction in sound 
pressure levels, any beluga whales observed in the larger monitoring 
zone will be recorded and reported as potential take, pending analysis 
of acoustic monitoring data.
    Based on our requirements, the Marine Mammal Monitoring Plan would 
implement the following procedures for pile driving:
     Four MMOs will work concurrently in rotating shifts to 
provide full coverage for marine mammal monitoring during in-water pile 
installation activities for the Test Pile Program. MMOs will work in 
four-person teams to increase the probability of detecting marine 
mammals and to confirm sightings. Three MMOs will scan the Level A and 
Level B harassment zones surrounding pile-driving activities for marine 
mammals by using big eye binoculars (25X), hand-held binoculars (7X), 
and the naked eye. One MMO will focus on the Level A harassment zone 
and two others will scan the Level B zone. Four MMOs will rotate 
through these three active positions every 30 minutes to reduce eye 
strain and increase observer alertness. The fourth MMO will record data 
on the computer, a less-strenuous activity that will provide the 
opportunity for some rest. A theodolite will also be available for use.
     In order to more effectively monitor the maximum potential 
Level B harassment zone associated with vibratory pile driving (i.e., 
4,000 m), personnel stationed on the hydroacoustic vessels will keep 
watch for marine mammals that may approach or enter that zone and will 
communicate all sightings to land-based MMOs and other appropriate 
shore staff.
     Before the Test Pile Program commences, MMOs and POA 
authorities will meet to determine the most appropriate observation 
platform(s) for monitoring during pile driving. Considerations will 
include:
    [cir] Height of the observation platform, to maximize field of view 
and distance
    [cir] Ability to see the shoreline, along which beluga whales 
commonly travel
    [cir] Safety of the MMOs, construction crews, and other people 
present at the POA
    [cir] Minimizing interference with POA activities
    Height and location of an observation platform are critical to 
ensuring that MMOs can adequately observe the harassment zone during 
pile installation. The platform should be mobile and able to be 
relocated to maintain maximal viewing conditions as the construction 
site shifts along the waterfront. Past monitoring efforts at the POA 
took place from a platform built on top of a cargo container or a 
platform raised by an industrial scissor lift. A similar shore-based, 
raised, mobile observation platform will likely be used for the Test 
Pile Program.
     POA will be required to monitor the maximum potential 
Level B harassment zones (1,400 and 4,000 m for impact and vibratory 
pile driving, respectively).
     MMOs will begin observing for marine mammals within the 
Level A and Level B harassment zones for 30 minutes before ``the soft 
start'' begins. If a marine mammal(s) is present within the relevant 
shut-down zone prior to the ``soft start'' or if marine mammal occurs 
during ``soft start'' pile driving will be delayed until the animal(s) 
leaves the shut-down zone. Pile driving will resume only after the MMOs 
have determined, through sighting or after 30 minutes with no sighting, 
that the animal(s) has moved outside the shut-down zone. After 30 
minutes, when the MMOs are certain that the shut-down zone is clear of 
marine mammals, they will authorize the soft start to begin.
     If a marine mammal other than a beluga whale is traveling 
along a trajectory that could take it into the maximum potential Level 
B harassment zone, the MMO will record the marine mammal(s) as a 
``take'' upon entering that zone. While the animal remains within the 
Level B harassment zone, that pile segment will be completed without 
cessation, unless the animal approaches the 100-meter shut-down zone, 
at which point the MMO will authorize the immediate shut-down of in-
water pile driving before the marine mammal enters the shut-down zone. 
Pile driving will resume only once the animal has left the shut-down 
zone on its own or has not been resighted for a period of 30 minutes.
     If waters exceed a sea-state which restricts the 
observers' ability to make observations within the relevant marine 
mammal shut-down zone (e.g. excessive wind or fog), pile installation 
will cease until conditions allow the resumption of monitoring.
     The waters will be scanned 30 minutes prior to commencing 
pile driving at the beginning of each day, and prior to commencing pile 
driving after any stoppage of 30 minutes or greater. If marine mammals 
enter or are observed within the designated marine mammal shutdown zone 
during or 30 minutes prior to pile driving, the monitors will notify 
the on-site construction manager to not begin until the animal has 
moved outside the designated radius.
     The waters will continue to be scanned for at least 30 
minutes after pile driving has completed each day.

Mitigation Conclusions

    NMFS has carefully evaluated the applicant's proposed mitigation 
measures and considered a range of other measures in the context of 
ensuring that NMFS prescribes the means of effecting the least 
practicable impact on the affected marine mammal species and stocks and 
their habitat. Our evaluation of potential measures included 
consideration of the following factors in relation to one another:
     The manner in which, and the degree to which, the 
successful implementation of the measure is expected to minimize 
adverse impacts to marine mammals
     The proven or likely efficacy of the specific measure to 
minimize adverse impacts as planned
     The practicability of the measure for applicant 
implementation.
    Any mitigation measure(s) prescribed by NMFS should be able to 
accomplish, have a reasonable likelihood of accomplishing (based on 
current science), or contribute to the accomplishment of one or more of 
the general goals listed below:
    1. Avoidance or minimization of injury or death of marine mammals 
wherever possible (goals 2, 3, and 4 may contribute to this goal).
    2. A reduction in the numbers of marine mammals (total number or 
number at biologically important time or location) exposed to received 
levels of pile driving, or other activities expected to result in the 
take of marine mammals (this goal may contribute to 1, above, or to 
reducing harassment takes only).
    3. A reduction in the number of times (total number or number at 
biologically important time or location) individuals would be exposed 
to received levels of pile driving, or other activities expected to 
result in the take of marine mammals

[[Page 15057]]

(this goal may contribute to 1, above, or to reducing harassment takes 
only).
    4. A reduction in the intensity of exposures (either total number 
or number at biologically important time or location) to received 
levels of pile driving, or other activities expected to result in the 
take of marine mammals (this goal may contribute to a, above, or to 
reducing the severity of harassment takes only).
    5. Avoidance or minimization of adverse effects to marine mammal 
habitat, paying special attention to the food base, activities that 
block or limit passage to or from biologically important areas, 
permanent destruction of habitat, or temporary destruction/disturbance 
of habitat during a biologically important time.
    6. For monitoring directly related to mitigation--an increase in 
the probability of detecting marine mammals, thus allowing for more 
effective implementation of the mitigation.
    Based on our evaluation of the applicant's proposed measures, as 
well as other measures considered by NMFS, our determination is that 
the mitigation measures provide the means of effecting the least 
practicable impact on marine mammals species or stocks and their 
habitat, paying particular attention to rookeries, mating grounds, and 
areas of similar significance.

Monitoring and Reporting

    In order to issue an ITA for an activity, section 101(a)(5)(D) of 
the MMPA states that NMFS must set forth ``requirements pertaining to 
the monitoring and reporting of such taking.'' The MMPA implementing 
regulations at 50 CFR 216.104 (a)(13) indicate that requests for ITAs 
must include the suggested means of accomplishing the necessary 
monitoring and reporting that will result in increased knowledge of the 
species and of the level of taking or impacts on populations of marine 
mammals that are expected to be present in the proposed action area. 
POA submitted a marine mammal monitoring plan as part of the IHA 
application. It can be found at http://www.nmfs.noaa.gov/pr/permits/incidental/construction.htm.
    Monitoring measures prescribed by NMFS should accomplish one or 
more of the following general goals:
    1. An increase in the probability of detecting marine mammals, both 
within the mitigation zone (thus allowing for more effective 
implementation of the mitigation) and in general to generate more data 
to contribute to the analyses mentioned below;
    2. An increase in our understanding of how many marine mammals are 
likely to be exposed to levels of pile driving that we associate with 
specific adverse effects, such as behavioral harassment, TTS, or PTS;
    3. An increase in our understanding of how marine mammals respond 
to stimuli expected to result in take and how anticipated adverse 
effects on individuals (in different ways and to varying degrees) may 
impact the population, species, or stock (specifically through effects 
on annual rates of recruitment or survival) through any of the 
following methods:
    [ssquf] Behavioral observations in the presence of stimuli compared 
to observations in the absence of stimuli (need to be able to 
accurately predict received level, distance from source, and other 
pertinent information);
    [ssquf] Physiological measurements in the presence of stimuli 
compared to observations in the absence of stimuli (need to be able to 
accurately predict received level, distance from source, and other 
pertinent information);
    [ssquf] Distribution and/or abundance comparisons in times or areas 
with concentrated stimuli versus times or areas without stimuli;
    4. An increased knowledge of the affected species; and
    5. An increase in our understanding of the effectiveness of certain 
mitigation and monitoring measures.

Acoustic Monitoring

    The POA has developed an acoustic monitoring plan titled Anchorage 
Port Modernization Project Test Pile Program Draft Hydroacoustic 
Monitoring Framework. Specific details regarding the plan may be found 
at www.nmfs.noaa.gov/pr/permits/incidental/construction.htm POA will 
conduct acoustic monitoring for impact pile driving to determine the 
actual distances to the 190 dB re 1[mu]Pa rms, 180 dB re 1[mu]Pa rms, 
and 160 dB re 1[mu]Pa rms isopleths, which are used by NMFS to define 
the Level A injury and Level B harassment zones for pinnipeds and 
cetaceans for impact pile driving. The POA will also measure background 
noise levels in the absence of pile driving activity and will conduct 
acoustic monitoring for vibratory pile driving to determine the actual 
distance to the point at which the signal becomes indistiuinguishable 
from background sound levels (assuming these are greater than 120 dB). 
Encapsulated bubble curtains and resonance-based attenuation systems 
will be tested during installation of some piles to determine their 
relative effectiveness at attenuating underwater noise.
    A typical daily sequence of operations for an acoustic monitoring 
day will include the following activities:
     Discussion of the day's pile-driving plans with the crew 
chief or appropriate contact and determination of setup locations for 
the fixed positions. Considerations include the piles to be driven and 
anticipated barge movements during the day.
     Calibration of hydrophones.
     Setup of the near (10-meter) system either on the barge or 
the existing dock.
     Deployment of an autonomous or cabled hydrophone at one of 
the distant locations.
     Recording pile driving operational conditions throughout 
the day.
     Upon conclusion of the day's pile driving, retrieve the 
remote systems, post- calibrate all the systems, and download all 
systems.
     A stationary hydrophone recording system used to determine 
SSLs will be suspended either from the pile driving barge or existing 
docks at approximately 10 meters from the pile being driven, for each 
pile driven. These data will be monitored in real-time.
     Prior to monitoring, a standard depth sounder will record 
depth before pile driving commences. The sounder will be turned off 
prior to pile driving to avoid interference with acoustic monitoring. 
Once the monitoring has been completed, the water depth will be 
recorded.
     A far range hydrophone will be located at a distance no 
less than 20 times the source water depth from the pile driving 
activity outside of the active shipping lanes/dredge area. If possible, 
this hydrophone should be moored using the same anchoring equipment and 
in the same location as was used for the background noise monitoring. 
In this situation, the hydrophone would be located between 500 and 
1,000 meters (1,640--3,280 feet) from the indicator test piles, which 
is sufficiently greater than 20 times the source water depth. This 
hydrophone will also be located in waters greater than 10 meters (33 
feet) deep and avoid areas of irregular bathymetry. The hydrophone will 
be placed within a few meters of the bottom in order to reduce flow 
noise avoid areas of irregular bathymetry. The hydrophone will be 
placed within a few meters of the bottom in order to reduce flow noise

Vessel-Based Hydrophones (One to Two Locations)

     An acoustic vessel with a single-channel hydrophone will 
be in the Knik Arm open water environment to monitor near-field and 
real-time

[[Page 15058]]

isopleths for marine mammals (Figure 13-1, Figure 13-4 in Application).
     Continuous measurements will be made using a sound level 
meter.
     One or two acoustic vessels are proposed to deploy 
hydrophones that will be used to collect data to estimate the distance 
to far-field sound levels (i.e., the 120-125-dB zone for vibratory and 
160-dB zone for impact driving).
     During the vessel-based recordings, the engine and any 
depth finders must be turned off. The vessel must be silent and 
drifting during spot recordings.
     Either a weighted tape measure or an electronic depth 
finder will be used to determine the depth of the water before 
measurement and upon completion of measurements. A GPS unit or range 
finder will be used to determine the distance of the measurement site 
to the piles being driven.
     Prior to and during the pile-driving activity, 
environmental data will be gathered, such as water depth and tidal 
level, wave height, and other factors, that could contribute to 
influencing the underwater sound levels (e.g., aircraft, boats, etc.). 
Start and stop time of each pile-driving event and the time at which 
the bubble curtain is turned on and off will be logged.
     The construction contractor will provide relevant 
information, in writing, to the hydroacoustic monitoring contractor for 
inclusion in the final monitoring report:

Data Collection

    MMOs will use approved data forms. Among other pieces of 
information, POA will record detailed information about any 
implementation of shut-downs, including the distance of animals to the 
pile and description of specific actions that ensued and resulting 
behavior of the animal, if any. In addition, POA will attempt to 
distinguish between the number of individual animals taken and the 
number of incidents of take. At a minimum, the following information 
would be collected on the sighting forms:
     Date and time that monitored activity begins or ends;
     Construction activities occurring during each observation 
period;
     Weather parameters (e.g., percent cover, visibility);
     Water conditions (e.g., sea state, tide state);
     Species, numbers, and, if possible, sex and age class of 
marine mammals;
     Description of any observable marine mammal behavior 
patterns, including bearing and direction of travel and distance from 
pile driving activity;
     Distance from pile driving activities to marine mammals 
and distance from the marine mammals to the observation point;
     Locations of all marine mammal observations; and
     Other human activity in the area.

Ambient Noise

    Ambient noise will be collected according to the NMFS' guidance 
memorandum issued on January 31, 2012, titled Data Collection Methods 
to Characterize Underwater Background Sound Relevant to Marine Mammals 
in Coastal Nearshore Waters and Rivers of Washington and Oregon (NMFS 
2012). This guidance is considered to be generally applicable for 
marine conditions and hydroacoustic monitoring in Alaska.

Reporting

    POA will notify NMFS prior to the initiation of the pile driving 
activities and will provide NMFS with a draft monitoring report within 
90 days of the conclusion of the proposed construction work or 60 days 
prior to the start of additional work covered under a subsequent IHA or 
Letter of Authorization. This report will detail the monitoring 
protocol, summarize the data recorded during monitoring, and estimate 
the number of marine mammals that may have been harassed. If no 
comments are received from NMFS within 30 days, the draft final report 
will constitute the final report. If comments are received, a final 
report must be submitted within 30 days after receipt of comments.

Estimated Take by Incidental Harassment

    Except with respect to certain activities not pertinent here, 
section 3(18) of the MMPA defines ``harassment'' as: ``. . . any act of 
pursuit, torment, or annoyance which (i) has the potential to injure a 
marine mammal or marine mammal stock in the wild [Level A harassment]; 
or (ii) has the potential to disturb a marine mammal or marine mammal 
stock in the wild by causing disruption of behavioral patterns, 
including, but not limited to, migration, breathing, nursing, breeding, 
feeding, or sheltering [Level B harassment].''
    Given the many uncertainties in predicting the quantity and types 
of impacts of sound in every given situation on marine mammals, it is 
common practice to estimate how many animals are likely to be present 
within a particular distance of a given activity, or exposed to a 
particular level of sound, based on the available science. The method 
used for calculating potential exposures to impact and vibratory pile 
driving noise for each threshold was estimated using a habitat-based 
predictive density model (Goetz et al., 2012) and local marine mammal 
data sets.

Harbor Seal and Harbor Porpoise

    Estimated take for harbor seals and harbor porpoises was modified 
from the levels published in the Federal Register notice of proposed 
authorization. This change was based on discussion with the Marine 
Mammal Commission. NMFS had originally proposed 31 harbor seal takes 
and 37 harbor porpoise takes. The Commission felt that there was a 
strong likelihood that more harbor seals would be taken compared to 
harbor porpoises. NMFS had estimated that one animal of each species 
would be taken per day resulting in 31 per species. NMFS also added 6 
take for harbor porpoises as a contingency since these animals are 
known to travel in pods.
    NMFS acknowledges that takes for various species can be estimated 
through a variety of methodologies. NMFS re-calculated take for these 
two species. As a conservative measure, daily individual sighting rates 
for any recorded year were generally used to quantify take of harbor 
seals and harbor porpoises for pile driving associated with the Test 
Pile Program. Data was collected as part of the MTRP Scientific 
Monitoring program, which took place from 2008 through 2011 (Cornick et 
al. 2008. 2009, 2010, 2011).
    The following equation was used to estimate harbor seal and harbor 
porpoise exposures

Exposure estimate = (N) * # days of pile driving per site,

Where:

N = highest daily abundance estimate for each species in project 
area.

    For harbor porpoises there was only a single sighting of more than 
one animal so NMFS opted to use a daily abundance rate of one for a 
total authorized take of 31. For harbor seals there were several 
reports of two or more animals. Therefore, NMFS applied a daily 
abundance estimate of two for a total authorized take of 62.

Steller Sea Lion

    There were three sightings of a single Steller sea lion during 
construction at the POA in 2009, and it is not possible to determine 
whether it was one or more animals. Alaska marine waters, including 
Cook Inlet, are undergoing environmental changes that are correlated 
with changes in movements

[[Page 15059]]

of animals, including marine mammals, into expanded or contracted 
ranges. For example, harbor seals and harbor porpoises are increasing 
in numbers in Upper Cook Inlet. It is unknown at this time what the 
impacts of environmental change will be on Steller sea lion movements, 
but it is possible that Steller sea lions may be sighted more 
frequently in Upper Cook Inlet, which is generally considered outside 
their typical range. The Steller sea lions sightings at the POA in 2009 
indicate that this species can and does occur in Upper Cook Inlet. As 
such, NMFS proposed an encounter rate of 1 individual for every 5 pile 
driving days across 31 driving days in the proposed authorization 
published in the Federal Register. Furthermore, Steller sea lions are 
social animals and often travel in groups, and a single sighting could 
include more than one individual. Therefore, NMFS conservatively 
estimates that six Steller sea lions could to be observed at the POA 
during the proposed timeframe of the Test Pile Program.

Killer Whales

    No killer whales were sighted during previous monitoring programs 
for the Knik Arm Crossing and POA construction projects, based on a 
review of monitoring reports. The infrequent sightings of killer whales 
that are reported in upper Cook Inlet tend to occur when their primary 
prey (anadromous fish for resident killer whales and beluga whales for 
transient killer whales) are also in the area (Shelden et al. 2003).
    With in-water pile driving occurring for only about 27 hours over 
31 days, the potential for exposure within the Level B harassment 
isopleths is anticipated to be extremely low. Level B take is 
conservatively estimated at no more than 8 killer whales, or two small 
pods, for the duration of the Test Pile Program.

Cook Inlet Beluga Whale

    For beluga whales, aerial surveys of Cook Inlet were completed in 
June and July from 1994 through 2008 (Goetz et al. 2012). Data from 
these aerial surveys were used along with depth soundings, coastal 
substrate type, an environmental sensitivity index, an index of 
anthropogenic disturbance, and information on anadromous fish streams 
to develop a predictive beluga whale habitat model (Goetz et al. 2012)
    Three different beluga distribution maps were produced from the 
habitat model based on sightings of beluga whales during aerial 
surveys. First, the probability of beluga whale presence was mapped 
using a binomial (i.e., yes or no) distribution and the results ranged 
from 0.00 to 0.01. Second, the expected group size was mapped. Group 
size followed a Poisson distribution, which ranged from 1 to 232 
individuals in a group. Third, the product (i.e., multiplication) of 
these predictive models produced an expected density model, with beluga 
whale densities ranging from 0 to 1.12 beluga whales/km\2\. From this 
model Goetz et al. (2012) developed a raster GIS dataset, which 
provides a predicted density of beluga whales throughout Cook Inlet at 
a scale of one square kilometer. Habitat maps for beluga whale 
presence, group size, and density (beluga whales/km\2\) were produced 
from these data and resulting model, including a raster Geographic 
Information System data set, which provides a predicted density of 
beluga whales throughout Cook Inlet at a 1-km\2\-scale grid.
    The numbers of beluga whales potentially exposed to noise levels 
above the Level B harassment thresholds for impact (160 dB) and 
vibratory (125 dB) pile driving were estimated using the following 
formula:

Beluga Exposure Estimate = N * Area * number of days of pile driving,

Where:

N = maximum predicted # of belugas whales/km\2\
Area = Area of Isopleth (area in km\2\ within the 160-dB isopleth 
for impact pile driving, or area in km\2\ within the 125-dB isopleth 
for vibratory pile driving)

    The distances to the Level B harassment and Level A injury 
isopleths were used to estimate the areas of the Level B harassment and 
Level A injury zones associated with driving a 48-inch pile, without 
consideration of potential effectiveness of sound attenuation systems. 
Note that ambient noise is likely elevated in the area, and 125 dB is 
used as a proxy for the background sound level. Distances and areas 
were calculated for both vibratory and impact pile driving, and for 
cetaceans and pinnipeds. Geographic information system software was 
used to map the Level B harassment and Level A injury isopleths from 
each of the six indicator test pile locations. Land masses near the 
POA, including Cairn Point, the North Extension, and Port MacKenzie, 
act as barriers to underwater noise and prevent further spread of sound 
pressure waves. As such, the harassment zones for each threshold were 
truncated and modified with consideration of these impediments to sound 
transmission (See Figures 6-1 through 6-6 in the Application). The 
measured areas (Table 6) were then used in take calculations for beluga 
whales.

                                              Table 4--Areas of the Level A and Level B Harassment Zones *
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                            Impact                                                     Vibratory
                                ------------------------------------------------------------------------------------------------------------------------
     Indicator teste piles        Pinniped,  Level A  Cetacean,  Level A        Level B       Pinniped,  Level A  Cetacean,  Level A  Pinniped,  Level B
                                ------------------------------------------------------------------------------------------------------------------------
                                        190 dB              180 dB              160 dB              190 dB              180 dB              125 dB
--------------------------------------------------------------------------------------------------------------------------------------------------------
Piles 3, 4.....................  <0.01 km\2\........  <0.01 km\2\.......  2.24 km\2\........  0 km\2\...........  0 km\2\...........  15.54 km\2\.
Pile 1                                                                    2.71 km\2\                                                  19.54 km\2\.
Pile 2                                                                    2.76 km\2\                                                  20.08 km\2\.
Piles 5, 6                                                                2.79 km\2\                                                  20.90 km\2\.
Pile 7                                                                    2.80 km\2\                                                  20.95 km\2\.
Piles 8, 9, 10                                                            3.03 km\2\                                                  22.14 km\2\.
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Based on the distances to sound isopleths for a 48-inch-diameter pile, assuming a 125-dB background noise level.

    The beluga whale exposure estimate was calculated for each of the 
six indicator test pile locations separately, because the area of each 
isopleth was different for each location. The predicted beluga whale 
density raster (Goetz et al. 2012) was overlaid with the isopleth areas 
for each of the indicator test pile locations. The maximum predicted 
beluga whale density within each area of isopleth was then used to 
calculate the beluga whale exposure

[[Page 15060]]

estimate for each of the indicator test pile locations. The maximum 
density values ranged from 0.031 to 0.063 beluga whale/km\2\ (Table 5).
    In the Federal Register Notice of proposed authorization, NMFS 
calculated an incorrect number of driving days at 43.5, which assumed 
that impact driving would occur on 12.5 days and vibratory could occur 
on 31 days. Impact and vibratory driving, however, will occur on a 
total of only 31 days. NMFS summed fractions of takes across days 
equaling a total of 19.245 takes which was rounded up to 20. NMFS also 
rounded the large group factor of 11.1 up to 12 resulting in a 
preliminary take estimate of 32 beluga whales. However, based on 
discussion with the Commission, NMFS revised the take estimates to 
reflect standard rounding practices (as typically used by NMFS in 
estimating potential marine mammal exposures to sound) to arrive at a 
number of whole animals likely to be exposed per day.
    In the revised take estimate, the area values were multiplied by 
the maximum predicted densities for both impact and vibratory driving 
as was done in the Federal Register Notice of proposed authorization. 
The impact driving takes per day values were all well below one (see 
Table 5). Employing standard rounding practices for this final IHA 
would result in zero takes from impact driving. However, we recognize 
that there is some non-zero probability of exposure of beluga whales 
due specifically to impact pile driving and, given that there are a 
total of 18.5 days of impact pile driving possible, we believe that a 
conservative estimate of 2 beluga takes during the days of impact 
driving is reasonable.
    Using standard rounding procedures, we estimate that there would be 
one beluga whale exposed per day of vibratory driving (see Table 4). 
When considering the projected number of days of vibratory pile driving 
including a 25 percent contingency for work delays (i.e., 12.5 total 
days of vibratory driving), we estimate 13 takes from vibratory 
driving. The takes from impact driving per pile were added to the takes 
per pile from vibratory driving resulting in an estimated 15 beluga 
whale takes. Results are shown in Table 5.

                                                    Table 5--Estimated Cook Inlet Beluga Whale Takes
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                              Impact      Takes per  day                     Vibratory    Takes per  day
                                                            Impact pile     driving max       impact      Vibratory pile    driving max      vibratory
                       Pile number                         driving area       density        driving/       driving area      density        driving/
                                                              (km\2\)     (whales/km\2\)   rounded takes      (km\2\)     (whales/km\2\)   rounded takes
--------------------------------------------------------------------------------------------------------------------------------------------------------
Pile 3..................................................            2.24           0.031          0.07/0           15.54           0.056          0.87/1
Pile 4..................................................            2.24           0.031          0.07/0           15.54           0.056          0.87/1
Pile 1..................................................            2.71           0.042          0.11/0           19.54           0.063          1.23/1
Pile 2..................................................            2.76           0.038          0.10/0           20.08           0.062          1.24/1
Pile 5..................................................            2.79           0.062          0.17/0            20.9           0.062          1.30/1
Pile 6..................................................            2.79           0.062          0.17/0            20.9           0.062          1.30/1
Pile 7..................................................             2.8           0.062          0.17/0           20.95           0.062          1.30/1
Pile 8..................................................            3.03           0.042          0.13/0           22.14           0.063          1.39/1
Pile 9..................................................            3.03           0.042          0.13/0           22.14           0.063          1.39/1
Pile 10.................................................            3.03           0.042          0.13/0           22.14           0.063          1.39/1
--------------------------------------------------------------------------------------------------------------------------------------------------------
              Total Rounded Takes (assume 18.5 days of impact pile driving)                            0    Total Rounded Takes (assume             12.5
                                                                                                            12.5 days of vibratory pile
                                                                                                                     driving)
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                       Total Takes                                                   2 *        Total Rounded Takes                   13
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                              Total Takes From Impact And Vibratory Driving                                                           15
--------------------------------------------------------------------------------------------------------------------------------------------------------
* Note that takes per day from impact driving rounded down to zero. NFMS acknowledges the risk of take is greater than zero and as a contingency
  estimated two total takes from impact pile driving.

    The beluga density estimate used for estimating potential beluga 
exposures does not reflect the reality that beluga whales can travel in 
large groups. As a contingency that a large group of beluga whales 
could potentially occur in the project area, NMFS buffered the exposure 
estimate detailed in the preceding by adding the estimated size of a 
notional large group of beluga whales. Incorporation of large groups 
into the beluga whale exposure estimate is intended to reflect the 
possibility that whales could be exposed to behavioral harassment based 
on what is known about belugas' tendency to travel together in pods. A 
single large group has been added to the estimate of exposure for 
beluga whales based on the density method, in the anticipation that the 
entry of a large group of beluga whales into a Level B harassment zone 
would take place, at most, one time during the project. To determine 
the most appropriate size of a large group, two sets of data were 
examined: (1) Beluga whale sightings collected opportunistically by POA 
employees since 2008 and (2) Alaska Pacific University (APU) scientific 
monitoring that occurred from 2007 through 2011.
    The APU scientific monitoring data set documents 390 beluga whale 
sightings. Group size exhibits a mode of 1 and a median of 2, 
indicating that over half of the beluga groups observed over the 5-year 
span of the monitoring program were of individual beluga whales or 
groups of 2. As expected, the opportunistic sighting data from the POA 
do not reflect this preponderance of small groups. The POA 
opportunistic data do indicate, however, that large groups of belugas 
were regularly seen in the area over the past 7 years, and that group 
sizes ranged as high as 100 whales. Of the 131 sightings documented in 
the POA opportunistic data set, 48 groups were of 15 or more beluga 
whales.
    The 95th percentile of group size for the APU scientific monitoring 
data is 11.1 beluga whales, rounded down to 11 beluga whales. In the 
Federal Register Notice of proposed authorization, the value was 
erroneously rounded up to 12. This means that, of the 390 documented 
beluga whale groups in this data set, 95 percent consisted of fewer 
than 11.1 whales; 5 percent of the groups consisted of more than 11.1 
whales. Therefore, it is improbable that a group of more than 11 beluga 
whales

[[Page 15061]]

would occur during the Test Pile Program. This number balances reduced 
risk to the POA with protection of beluga whales. POA opportunistic 
observations indicate that many groups of greater than 11 beluga whales 
commonly transit through the project area. APU scientific monitoring 
data indicate that 5 percent of their documented groups consisted of 
greater than 11 beluga whales.
    The total number of estimated and authorized takes of Cook Inlet 
beluga whales is, therefore, 15 (13 vibratory/2 impact driving) using 
the density method plus 11 based on the large group adjustment, 
resulting in 26 total incidents of take. No Level A harassment is 
expected or authorized.
    Note that this take estimate and authorization is based on the 
maximum predicted zone of influence (i.e., 1,359 m and 3,981 m for 
impact and vibratory driving, respectively). This is a precautionary 
approach accounting for the possibility that the sound attenuation 
systems used may not always achieve effective attenuation of at least 
10 dB.

Analyses and Determinations

Negligible Impact Analysis

    Negligible impact is ``an impact resulting from the specified 
activity that cannot be reasonably expected to, and is not reasonably 
likely to, adversely affect the species or stock through effects on 
annual rates of recruitment or survival'' (50 CFR 216.103). A 
negligible impact finding is based on the lack of likely adverse 
effects on annual rates of recruitment or survival (i.e., population-
level effects). An estimate of the number of Level B harassment takes, 
alone, is not enough information on which to base an impact 
determination. In addition to considering estimates of the number of 
marine mammals that might be ``taken'' through behavioral harassment, 
NMFS must consider other factors, such as the likely nature of any 
responses (their intensity, duration, etc.), the context of any 
responses (critical reproductive time or location, migration, etc.), as 
well as the number and nature of estimated Level A harassment takes, 
the number of estimated mortalities, effects on habitat, and the status 
of the species.
    To avoid repetition, the discussion of our analyses applies to all 
the species listed in Table 6, given that the anticipated effects of 
this pile driving project on marine mammals are expected to be 
relatively similar in nature. Except for beluga whales, where we 
provide additional discussion, there is no information about the size, 
status, or structure of any species or stock that would lead to a 
different analysis for this activity; otherwise species-specific 
factors would be identified and analyzed.
    Pile driving activities associated with the Test Pile Program, as 
outlined previously, have the potential to disturb or displace marine 
mammals. Specifically, the specified activities may result in take, in 
the form of Level B harassment (behavioral disturbance) only, from 
underwater sounds generated from pile driving. Harassment takes could 
occur if individuals of these species are present in the ensonified 
zone when pile driving is happening.
    No injury, serious injury, or mortality is anticipated given the 
nature of the activity and measures designed to minimize the 
possibility of injury to marine mammals. The potential for these 
outcomes is minimized through the implementation of the following 
planned mitigation measures. POA will employ a ``soft start'' when 
initiating driving activities. Given sufficient ``notice'' through use 
of soft start, marine mammals are expected to move away from a pile 
driving source. The likelihood of marine mammal detection ability by 
trained observers is high under the environmental conditions described 
for waters within a 1,000 meter distance of the project area. This 
enables reasonable certainty of the implementation of required shut-
downs to avoid potential injury of marine mammals other than beluga 
whales and to minimize potential harassment of beluga whales for the 
majority of driven piles. POA's proposed activities are localized and 
of relatively short duration. The total amount of time spent pile 
driving, including a 25% contingency, will be 27 hours over 
approximately 31 days.
    These localized and short-term noise exposures may cause brief 
startle reactions or short-term behavioral modification by the animals. 
These reactions and behavioral changes are expected to subside quickly 
when the exposures cease.
    The project is not expected to have significant adverse effects on 
affected marine mammals' habitat, as analyzed in detail in the 
``Anticipated Effects on Marine Mammal Habitat'' section. No important 
feeding and/or reproductive areas for marine mammals other than beluga 
whales are known to be near the proposed project area. Project-related 
activities may cause some fish to leave the area of disturbance, thus 
temporarily impacting marine mammals' foraging opportunities in a 
limited portion of the foraging range; but, because of the short 
duration of the activities and the relatively small area of the habitat 
that may be affected, the impacts to marine mammal habitat are not 
expected to cause significant or long-term negative consequences.
    Beluga whales have been observed transiting past the POA project by 
both scientific and opportunistic surveys. During the spring and summer 
when the Test Pile Program is scheduled, belugas are generally 
concentrated near warmer river mouths where prey availability is high 
and predator occurrence is low (Moore et al. 2000). Data on beluga 
whale sighting rates, grouping, behavior, and movement indicate that 
the POA is a relatively low-use area, occasionally visited by lone 
whales or small groups of whales. They are observed most often at low 
tide in the fall, peaking in late August to early September. Groups 
with calves have been observed to enter the POA area, but data do not 
suggest that the area is an important nursery area. Although POA 
scientific monitoring studies indicate that the area is not used 
frequently by many beluga whales, it is apparently used for foraging 
habitat by whales traveling between lower and upper Knik Arm, as 
individuals and groups of beluga whales have been observed passing 
through the area each year during monitoring efforts. Data collected 
annually during monitoring efforts demonstrated that few beluga whales 
were observed in July and early August; numbers of sightings increased 
in mid-August, with the highest numbers observed late August to mid-
September. In all years, beluga whales have been observed to enter the 
project footprint while construction activities were taking place, 
including pile driving and dredging. The most commonly observed 
behaviors were traveling, diving, and suspected feeding. No apparent 
behavioral changes or reactions to in-water construction activities 
were observed by either the construction or scientific observers 
(Cornick et al. 2011).
    Critical habitat for Beluga whales has been identified in the area. 
However, habitat in the immediate vicinity of the project has been 
excluded from critical habitat designation. Furthermore the project 
activities would not modify existing marine mammal habitat. NMFS 
concludes that both the short-term adverse effects and the long-term 
effects on beluga whale prey quantity and quality will be 
insignificant. The sound from pile driving may interfere with whale 
passage between lower and upper Knik Arm. However, POA is an 
industrialized area with significant noise from vessel traffic and 
beluga whales pass through the area unimpeded.

[[Page 15062]]

    Effects on individuals that are taken by Level B harassment, on the 
basis of reports in the literature as well as monitoring from other 
similar activities, will likely be limited to reactions such as 
increased swimming speeds, increased surfacing time, or decreased 
foraging (if such activity were occurring) (e.g., Thorson and Reyff, 
2006; Lerma, 2014). Most likely, individuals will simply move away from 
the sound source and be temporarily displaced from the areas of pile 
driving, although even this reaction has been observed primarily only 
in association with impact pile driving. The pile removal activities 
analyzed here are similar to, or less impactful than, numerous 
construction activities conducted in other similar locations, which 
have taken place with no reported injuries or mortality to marine 
mammals, and no known long-term adverse consequences from behavioral 
harassment. Repeated exposures of individuals to levels of sound that 
may cause Level B harassment here are unlikely to result in hearing 
impairment or to significantly disrupt foraging behavior. Thus, even 
repeated Level B harassment of some small subset of the species is 
unlikely to result in any significant realized decrease in fitness for 
the affected individuals, and thus would not result in any adverse 
impact to the stock as a whole. Impacts will be reduced to the least 
practicable level through use of mitigation measures described herein. 
Finally, if sound produced by project activities is sufficiently 
disturbing, animals are likely to simply avoid the project area while 
the activity is occurring.
    In summary, this negligible impact analysis is founded on the 
following factors for beluga whales: (1) The seasonal distribution and 
habitat use patterns of Cook Inlet beluga whales, which suggest that 
for much of the time only a small portion of the population would be in 
the vicinity of the Test Pile Program; (2) the lack of behavioral 
changes observed with previous construction activities; (3) the nominal 
impact on critical habitat; (4) the mitigation requirements, including 
shut-downs for one or more belugas; (4) the monitoring requirements 
described earlier in this document for all marine mammal species that 
will further reduce the amount and intensity of takes; and (5) 
monitoring results from previous activities that indicated low numbers 
of beluga whale sightings within the Level B disturbance exclusion 
zone.
    For marine mammals other than beluga whales the negligible impact 
analysis is based on the following: (1) The possibility of injury, 
serious injury, or mortality may reasonably be considered discountable; 
(2) the anticipated incidents of Level B harassment consist of, at 
worst, temporary modifications in behavior; (3) the absence of any 
significant habitat within the project area, including rookeries, 
significant haul-outs, or known areas or features of special 
significance for foraging or reproduction; (4) the anticipated efficacy 
of the proposed mitigation measures in reducing the effects of the 
specified activity. In combination, we believe that these factors, as 
well as the available body of evidence from other similar activities, 
demonstrate that the potential effects of the specified activity will 
have only short-term effects on individuals. The specified activity is 
not expected to impact annual rates of recruitment or survival and will 
therefore have a negligible impact on those species.
    Therefore, based on the analysis contained herein of the likely 
effects of the specified activity on marine mammals and their habitat, 
and taking into consideration the implementation of the proposed 
monitoring and mitigation measures, NMFS finds that the total marine 
mammal take from POA's Test Pile Program will have a negligible impact 
on the affected marine mammal species or stocks.

    Table 6--Authorized Level B Harassment Take Levels, DPS or Stock Abundance, and Percentage of Population
                                              Proposed To Be Taken
----------------------------------------------------------------------------------------------------------------
                                          Proposed Level
              DPS or stock                    B take       Abundance (DPS or stock)    Percentage of population
                                            harassment
----------------------------------------------------------------------------------------------------------------
Cook Inlet beluga whale.................              26  312 \a\...................  8.33
Killer whale............................               8  2,347 Resident \b\ 587      0.34 Resident \c\ 1.36
                                                           Transient.                  Transient.
Harbor porpoise.........................              31  31,046 \d\................  0.10.
Harbor seal.............................              62  27,836 \e\................  0.22.
Western DPS, Steller sea lion...........               6  49,497 \f\................  <0.01.
----------------------------------------------------------------------------------------------------------------
\a\ Abundance estimate for the Cook Inlet stock and DPS (Allen and Angliss, 2015; Shelden et al., 2015).
\b\ Abundance estimate for the Eastern North Pacific Alaska Resident stock; the estimate for the transient
  population is for the Gulf of Alaska, Aleutian Islands, and Bering Sea stock.
\c\ Assumes all individuals would be from the resident stock or the transient stock.
\d\ Abundance estimate for the Gulf of Alaska stock.
\e\ Abundance estimate for the Cook Inlet/Shelikof stock.
\f\ Abundance estimate for the Western U.S. Stock and western DPS.
Sources for population estimates other than Cook Inlet beluga whales: Allen and Angliss 2013, 2014, 2015.

Small Numbers Analysis

    Table 6 indicates the numbers of animals that could be exposed to 
received noise levels that could cause Level B behavioral harassment 
from work associated with the proposed Test Pile Program. The analyses 
provided represents between <0.01% to 8.33% of the populations of these 
stocks that could be affected by Level B behavioral harassment. These 
are small numbers of marine mammals relative to the sizes of the 
affected species and population stocks under consideration. 
Furthermore, it is possible that some beluga whale takes may represent 
a single individual that is counted repeatedly.
    Based on the methods used to estimate take, and taking into 
consideration the implementation of the mitigation and monitoring 
measures, we find that small numbers of marine mammals will be taken 
relative to the populations of the affected species or stocks.

Impact on Availability of Affected Species for Taking for Subsistence 
Uses

    NMFS has defined ``unmitigable adverse impact'' in 50 CFR 216.103 
as: ``an impact resulting from the specified activity: (1) That is 
likely to reduce the availability of the species to a level 
insufficient for a harvest to meet subsistence needs by: (i) Causing 
the marine mammals to abandon or avoid

[[Page 15063]]

hunting areas; (ii) Directly displacing subsistence users; or (iii) 
Placing physical barriers between the marine mammals and the 
subsistence hunters; and (2) That cannot be sufficiently mitigated by 
other measures to increase the availability of marine mammals to allow 
subsistence needs to be met.
    The proposed Test Pile Program will occur in or near a traditional 
subsistence hunting area and could affect the availability of marine 
mammals for subsistence uses. Harbor seals are the only species for 
which take is authorized that may be subject to limited boat-based 
subsistence hunting.
    POA communicated with representative Native subsistence users and 
Tribal members to develop a Plan of Cooperation, which identifies what 
measures have been taken or will be taken to minimize any adverse 
effects of the Test Pile Program on the availability of marine mammals 
for subsistence uses. On December 22, 2015, POA sent letters to eight 
tribes including the the Kenaitze, Tyonek, Knik, Eklutna, Ninilchik, 
Seldovia, Salamatoff, and Chickaloon tribes informing them of the 
project and identifying potential impacts to marine mammals as well as 
planned mitigation efforts. POA also inquired about any possible marine 
mammal subsistence concerns they might have. None of the tribes 
indicated that they had any concerns with the proposed Test Pile 
Program.
    Since all project activities will take place within the immediate 
vicinity of the POA, the project will not have an adverse impact on the 
availability of marine mammals for subsistence use at distant 
locations. Due to mitigation and monitoring requirements, no 
displacement of marine mammals from traditional hunting areas or 
changes to availability of subsistence resources will result from Test 
Pile Program activities. Given the combination of the Test Pile Program 
location, small size of the affected area, and required mitigation and 
monitoring measures NMFS has determined that there will not be an 
unmitigable adverse impact on subsistence uses from POA's proposed 
activities.

Endangered Species Act (ESA)

    The Cook Inlet beluga whale and western depleted population segment 
of Steller sea lion are mammal species listed as endangered under the 
ESA with confirmed or possible occurrence in the study area. NMFS' 
Permits and Conservation Division has completed a formal consultation 
with NMFS' Protected Resources Division under section 7 of the ESA on 
the issuance of an IHA to POA under section 101(a)(5)(D) of the MMPA 
for this activity. A Biological Opinion was issued on March 2, 2016 and 
is posted at http://www.nmfs.noaa.gov/pr/permits/incidental/construction.htm. NMFS determined that while the proposed action may 
affect Cook Inlet beluga whales and wDPS Steller sea lions, it is not 
likely to jeopardize the continued existence of those species or 
adversely modify any designated critical habitat.

National Environmental Policy Act (NEPA)

    NMFS drafted a document titled Environmental Assessment for 
Issuance of an Incidental Harassment Authorization to the Port of 
Alaska for the Take of Marine Mammals Incidental to a Test Pile Program 
and Finding of No Significant Impact (FONSI). The FONSI was signed on 
March 2, 2016. The EA/FONSI is posted at http://www.nmfs.noaa.gov/pr/permits/incidental/construction.htm.

Authorization

    As a result of these determinations, we have issued an IHA to POA 
for conducting the Test Pile Program in Anchorage, AK from April 1, 
2016 through March 31, 2017 through provided the previously described 
mitigation, monitoring, and reporting requirements are incorporated.

    Dated: March 9, 2016.
Perry Gayaldo,
Deputy Director, Office of Protected Resources, National Marine 
Fisheries Service.
[FR Doc. 2016-06251 Filed 3-18-16; 8:45 am]
 BILLING CODE 3510-22-P



                                                  15048                         Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                  ADDRESSES:   The meeting will be held at                (978) 465–0492, at least 5 days prior to              upon request, the incidental, but not
                                                  the Hilton Garden Inn, 100 Boardman                     the meeting date.                                     intentional, taking of small numbers of
                                                  Street, Boston, MA 02128; phone: (617)                    Authority: 16 U.S.C. 1801 et seq.                   marine mammals by U.S. citizens who
                                                  567–6789; fax: (617) 461–0798.                                                                                engage in a specified activity (other than
                                                    Council address: New England                            Dated: March 16, 2016.                              commercial fishing) within a specified
                                                  Fishery Management Council, 50 Water                    Tracey L. Thompson,                                   geographical region if certain findings
                                                  Street, Mill 2, Newburyport, MA 01950.                  Acting Deputy Director, Office of Sustainable         are made and either regulations are
                                                                                                          Fisheries, National Marine Fisheries Service.         issued or, if the taking is limited to
                                                  FOR FURTHER INFORMATION CONTACT:
                                                  Thomas A. Nies, Executive Director,                     [FR Doc. 2016–06280 Filed 3–18–16; 8:45 am]           harassment, a notice of a proposed
                                                  New England Fishery Management                          BILLING CODE 3510–22–P                                authorization is provided to the public
                                                  Council; telephone: (978) 465–0492.                                                                           for review.
                                                                                                                                                                   Authorization for incidental takings
                                                  SUPPLEMENTARY INFORMATION:                              DEPARTMENT OF COMMERCE                                shall be granted if NMFS finds that the
                                                  Agenda                                                                                                        taking will have a negligible impact on
                                                                                                          National Oceanic and Atmospheric                      the species or stock(s), will not have an
                                                     The committee plans to discuss the                   Administration                                        unmitigable adverse impact on the
                                                  groundfish monitoring program and will
                                                                                                          RIN 0648–XE251                                        availability of the species or stock(s) for
                                                  discuss PDT analysis with respect to the
                                                                                                                                                                subsistence uses (where relevant), and if
                                                  groundfish monitoring program, to                                                                             the permissible methods of taking and
                                                                                                          Takes of Marine Mammals Incidental
                                                  assess whether: CV requirements and                                                                           requirements pertaining to the
                                                                                                          To Specified Activities; Taking Marine
                                                  methodologies are the most appropriate                                                                        mitigation, monitoring and reporting of
                                                                                                          Mammals Incidental To Implementation
                                                  to verify area fished, catch and discards                                                                     such takings are set forth. NMFS has
                                                                                                          of a Test Pile Program in Anchorage,
                                                  by species and gear type for the sector                                                                       defined ‘‘negligible impact’’ in 50 CFR
                                                                                                          Alaska
                                                  system, and; ASM provides the sector                                                                          216.103 as ‘‘an impact resulting from
                                                  fishery, recognizing heterogeneity                      AGENCY:  National Marine Fisheries                    the specified activity that cannot be
                                                  within the fleet (e.g., trip length,                    Service (NMFS), National Oceanic and                  reasonably expected to, and is not
                                                  homeport, etc.), the maximum flexibility                Atmospheric Administration (NOAA),                    reasonably likely to, adversely affect the
                                                  to meet ASM goals and objectives. They                  Commerce.                                             species or stock through effects on
                                                  will also develop committee                             ACTION: Notice; issuance of an incidental             annual rates of recruitment or survival.’’
                                                  recommendations to the Council on the                   harassment authorization.                                Section 101(a)(5)(D) of the MMPA
                                                  possible alternatives for a monitoring                                                                        established an expedited process by
                                                  action. The committee also plans to                     SUMMARY:    In accordance with the                    which citizens of the U.S. can apply for
                                                  discuss windowpane flounder                             regulations implementing the Marine                   an authorization to incidentally take
                                                  management alternatives and will                        Mammal Protection Act (MMPA) as                       small numbers of marine mammals by
                                                  receive an update on the development                    amended, notification is hereby given                 harassment. Section 101(a)(5)(D)
                                                  of a Council staff white paper examining                that we have issued an incidental                     establishes a 45-day time limit for
                                                  the windowpane flounder issue. They                     harassment authorization (IHA) to the                 NMFS’ review of an application
                                                  will also develop committee                             Municipality of Anchorage (MOA) Port                  followed by a 30-day public notice and
                                                  recommendations on next steps for the                   of Anchorage (POA) to incidentally                    comment period on any proposed
                                                  white paper. The committee will                         harass four species of marine mammals                 authorization for the incidental
                                                  discuss the recreational management                     during activities related to the                      harassment of marine mammals. Within
                                                  measures process and receive an update                  implementation of a Test Pile Program,                45 days of the close of the comment
                                                  on the development of a Council staff                   including geotechnical characterization               period, NMFS must either issue or deny
                                                  white paper examining the recreational                  of pile driving sites, near its existing              the authorization. Except with respect to
                                                  management measures process issue.                      facility in Anchorage, Alaska.                        certain activities not pertinent here, the
                                                  They will also develop committee                        DATES: This authorization is effective                MMPA defines ‘‘harassment’’ as ‘‘any
                                                  recommendations on next steps for the                   from April 1, 2016, through March 31,                 act of pursuit, torment, or annoyance
                                                  white paper. Other business will be                     2017.                                                 which (i) has the potential to injure a
                                                  discussed as necessary.                                 FOR FURTHER INFORMATION CONTACT:                      marine mammal or marine mammal
                                                     Although non-emergency issues not                    Robert Pauline, Office of Protected                   stock in the wild [Level A harassment];
                                                  contained in this agenda may come                       Resources, NMFS, (301) 427–8401.                      or (ii) has the potential to disturb a
                                                  before this group for discussion, those                 SUPPLEMENTARY INFORMATION:                            marine mammal or marine mammal
                                                  issues may not be the subject of formal                                                                       stock in the wild by causing disruption
                                                  action during this meeting. Action will                 Availability                                          of behavioral patterns, including, but
                                                  be restricted to those issues specifically                An electronic copy of POA’s                         not limited to, migration, breathing,
                                                  listed in this notice and any issues                    application and supporting documents,                 nursing, breeding, feeding, or sheltering
                                                  arising after publication of this notice                as well as a list of the references cited             [Level B harassment].’’
                                                  that require emergency action under                     in this document, may be obtained by
                                                  section 305(c) of the Magnuson-Stevens                                                                        Summary of Request
                                                                                                          visiting the Internet at:
                                                  Act, provided the public has been                       www.nmfs.noaa.gov/pr/permits/                           On February 15, 2015, NMFS received
                                                  notified of the Council’s intent to take                incidental/construction.htm. In case of               an application from POA for the taking
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                                                  final action to address the emergency.                  problems accessing these documents,                   of marine mammals incidental to
                                                                                                          please call the contact listed above (see             conducting a Test Pile Program as part
                                                  Special Accommodations                                                                                        of the Anchorage Port Modernization
                                                                                                          FOR FURTHER INFORMATION CONTACT).
                                                    This meeting is physically accessible                                                                       Project (APMP). POA submitted a
                                                  to people with disabilities. Requests for               Background                                            revised application on November 23,
                                                  sign language interpretation or other                     Sections 101(a)(5)(A) and (D) of the                2015. NMFS determined that the
                                                  auxiliary aids should be directed to                    MMPA (16 U.S.C. 1361 et seq.) direct                  application was adequate and complete
                                                  Thomas A. Nies, Executive Director, at                  the Secretary of Commerce to allow,                   on November 30, 2015. POA proposes to


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                                                                                  Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                                                         15049

                                                  install a total of 10 test piles as part of                     MOA on Knik Arm in upper Cook Inlet                        added to account for delays due to
                                                  a Test Pile Program to support the                              (See Figure 1–1 in the Application), the                   weather or marine mammal shut-downs
                                                  design of the Anchorage Port                                    existing 129-acre Port facility is                         resulting in an estimated 6 hours of
                                                  Modernization Project (APMP) in                                 currently operating at or above                            vibratory driving and 21 hours of impact
                                                  Anchorage, Alaska. The Test Pile                                sustainable practicable capacity for the                   driving over 31 days of installation.
                                                  Program will also be integrated with a                          various types of cargo handled at the                      Restriking of some of the piles will
                                                  hydroacoustic monitoring program to                             facility. The existing infrastructure and                  occur two to three weeks following
                                                  obtain data that can be used to evaluate                        support facilities were largely                            installation. Approximately 25 percent
                                                  potential environmental impacts and                             constructed in the 1960s. They are                         of pile driving will be conducted via
                                                  meet future permit requirements. All                            substantially past their design life, have                 vibratory installation, while the
                                                  pile driving is expected to be completed                        degraded to levels of marginal safety,                     remaining 75 percent of pile driving
                                                  by July 1, 2016. However, to                                    and are in many cases functionally                         will be conducted with impact
                                                  accommodate unexpected project delays                           obsolete, especially in regards to seismic                 hammers. Although each indicator pile
                                                  and other unforeseeable circumstances,                          design criteria and condition. The                         test can be conducted in less than 2
                                                  the requested and proposed IHA period                           APMP will include construction of new                      hours, mobilization and setup of the
                                                  for the Test Pile Program is for the 1-                         pile-supported wharves and trestles to                     barge at the test site will require 1 to 2
                                                  year period from April 1, 2016, to March                        the south and west of the existing                         days per location and could be longer
                                                  31, 2017. Subsequent incidental take                            terminals, with a planned design life of                   depending on terminal use. Additional
                                                  authorizations will be required to cover                        75 years.                                                  time will be required for installation of
                                                  pile driving under actual construction                             An initial step in the APMP is                          sound attenuation measures, and for
                                                  associated with the APMP.                                       implementation of a Test Pile Program,                     subsequent noise-mitigation monitoring.
                                                    The use of vibratory and impact pile                          the specified activity for this IHA. The                   Hydroacoustic monitoring and
                                                  driving is expected to produce                                  POA proposes to install a total of 10 test                 installation of resonance-based systems
                                                  underwater sound at levels that have the                        piles at the POA as part of a Test Pile                    or bubble curtains will likely increase
                                                  potential to result in behavioral                               Program to support the design of the                       the time required to install specific
                                                  harassment of marine mammals. Species                           APMP. The Test Pile Program will also                      indicator pile from a few hours to a day
                                                  with the expected potential to be                               be integrated with a hydroacoustic                         or more.
                                                  present during the project timeframe                            monitoring program to obtain data that
                                                                                                                  can be used to evaluate potential                            Within any day, the number of hours
                                                  include harbor seals (Phoca vitulina),                                                                                     of pile driving will vary, but will
                                                  Cook Inlet beluga whales                                        environmental impacts and meet future
                                                                                                                  permit requirements. Proposed Test Pile                    generally be low. The number of hours
                                                  (Delphinapterus leucas), and harbor                                                                                        required to set a pile initially using
                                                  porpoises (Phocoena phocoena).                                  Program activities with potential to
                                                                                                                  affect marine mammals within the                           vibratory methods is about 30 minutes
                                                  Species that may be encountered                                                                                            per pile, and the number of hours of
                                                  infrequently or rarely within the project                       waterways adjacent to the POA include
                                                                                                                  vibratory and impact pile-driving                          impact driving per pile is about 1.5
                                                  area are killer whales (Orcinus orca) and                                                                                  hours. Vibratory driving for each test
                                                  Steller sea lions (Eumetopias jubatus).                         operations in the project area.
                                                                                                                                                                             pile will occur on ten separate days.
                                                  Description of the Specified Activity                           Dates and Duration                                         Impact driving could occur on any of
                                                                                                                    In-water work associated with the                        the 31 days depending on a number of
                                                  Overview                                                        APMP Test Pile Program will begin no                       factors including weather delays and
                                                    We provided a description of the                              sooner than April 1, 2016, and will be                     unanticipated scheduling issues. On
                                                  proposed action in our Federal Register                         completed no later than March 31, 2017                     some days, pile driving may occur only
                                                  notice announcing the proposed                                  (1 year following IHA issuance), but is                    for an hour or less as bubble curtains
                                                  authorization (80 FR 78176; December                            expected to be completed by July 1,                        and the containment frames are set up
                                                  16, 2015). Please refer to that document;                       2016. Pile driving is expected to take                     and implemented, resonance-based
                                                  we provide only summary information                             place over 25 days and include 5 hours                     systems are installed, hydrophones are
                                                  here.                                                           of vibratory driving and 17 hours of                       placed, pipe segments are welded, and
                                                    The POA is modernizing its facilities                         impact driving as is shown in Table 1.                     other logistical requirements are
                                                  through the APMP. Located within the                            A 25 percent contingency has been                          handled.

                                                     TABLE 1—CONCEPTUAL PROJECT SCHEDULE FOR TEST PILE DRIVING, INCLUDING ESTIMATED NUMBER OF HOURS AND
                                                                                          DAYS FOR PILE DRIVING
                                                                                                                                                   Number of          Number of                                                   Total
                                                                                                                                                                                        Number of         Number of
                                                                                                                       Pile        Number of         hours,            hours,                                                 number of
                                                           Month                         Pile type                                                                                        days of           days of
                                                                                                                    diameter         piles          vibratory          impact                                                   days of
                                                                                                                                                                                        pile driving       restrikes
                                                                                                                                                     driving           driving                                                pile driving

                                                  April–July 2016 ...........   Steel pipe ....................    48″ OD ....               10   5 ...............   17 ............   21 ............   4 ...............   25.

                                                                                                                                                                                 + 25% contingency =

                                                                                                                                                  6 hours ....        21 hours ..       26 days ....      5 days ......       31 days.
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                                                     Notes: OD—outside diameter.


                                                  Specific Geographic Region                                      of Knik Arm of upper Cook Inlet. The                       Longitude 149°52′ W.; Seward
                                                                                                                  POA sits in the industrial waterfront of                   Meridian). Knik Arm and Turnagain
                                                    The Municipality of Anchorage                                 Anchorage, just south of Cairn Point and                   Arm are the two branches of upper Cook
                                                  (MOA) is located in the lower reaches                           north of Ship Creek (Latitude 61°15′ N.,                   Inlet and Anchorage is located where


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                                                  15050                         Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                  the two Arms join (Figure 2–1 in the                    population, NMFS will incorporate any                 number of acceptable methodologies
                                                  Application).                                           findings into future negligible impact                that can be employed to estimate take.
                                                                                                          analyses associated with incidental take              Some methodologies may be more or
                                                  Comments and Responses
                                                                                                          authorizations.                                       less suitable depending upon the type,
                                                     A notice of NMFS’ proposal to issue                     Comment 2: The Commission                          duration, and location of a given project.
                                                  an IHA was published in the Federal                     recommended that NMFS develop a                       Furthermore, there may be available
                                                  Register on December 16, 2015 (80 FR                    policy that sets forth clear criteria and/            data that are applicable only within a
                                                  78176). During the 30-day public                        or thresholds for determining what                    localized area and not across the
                                                  comment period, the Marine Mammal                       constitutes small numbers and                         entirety of Cook Inlet. As such, NMFS
                                                  Commission (Commission) and Friends                     negligible impact for the purpose of                  makes determinations about the best
                                                  of Animals (FoA) each submitted letters.                authorizing incidental takes of marine                available information, including the
                                                  The Center for Biological Diversity                     mammals.                                              most appropriate methodologies to
                                                  (CBD) and The Humane Society of the                        Response: NMFS is in the process of                generate take estimates, on an action-
                                                  U.S. (HSUS) submitted comments                          developing both a clearer policy to                   specific basis.
                                                  jointly. The letters are available at                   outline the criteria for determining what                Comment 5: The Commission
                                                  www.nmfs.noaa.gov/pr/permits/                           constitutes ‘‘small numbers’’ and                     recommended that NMFS require POA
                                                  incidental/construction.htm. NMFS’                      constructing an improved analytical                   to implement delay and shut-down
                                                  responses to submitted comments are                     framework for determining whether an                  procedures if a single beluga or five or
                                                  contained below.                                        activity will have a ‘‘negligible impact’’            more harbor porpoises or killer whales
                                                     Comment 1: The Commission, FoA,                      for the purpose of authorizing takes of               are observed approaching or within the
                                                  and CBD/HSUS recommended that                           marine mammals. We fully intend to                    Level B harassment zones for impact
                                                  NMFS defer issuance of incidental take                  engage the MMC in these processes at                  and vibratory pile driving, as has been
                                                  authorizations and regulations until it                 the appropriate time.                                 done under recent IHAs that involved
                                                  has better information on the cause or                     Comment 3: The Commission                          the use of airguns and sub-bottom
                                                  causes of the ongoing decline of beluga                 recommended that NMFS draft and                       profilers for seismic surveys, or provide
                                                  whales and has a reasonable basis for                   finalize its programmatic environmental               sufficient justification regarding why
                                                  determining that authorizing takes by                   impact statement (PEIS) on the issuance               implementation of those procedures is
                                                  behavioral harassment would not                         of incidental take authorizations in                  not necessary for the proposed
                                                  contribute to further decline.                          Cook Inlet and establish annual limits                activities.
                                                     Response: In accordance with our                     on the total number and types of takes                   Response: NMFS, after engaging in
                                                  implementing regulations at 50 CFR                      that are authorized for sound-producing               consultation under section 7 of the ESA,
                                                  216.104(c), NMFS uses the best                          activities in Cook Inlet. FoA wrote that              has modified the Level B harassment
                                                  available scientific information to                     NMFS should prepare an environmental                  shutdown requirement that was in the
                                                  determine whether the taking by the                     impact statement before issuing any                   proposed IHA. Rather than shutdown
                                                  specified activity within the specified                 IHAs.                                                 for groups of five or more belugas or
                                                  geographic region will have a negligible                   Response: NMFS published a Federal                 calves observed within or approaching
                                                  impact on the species or stock and will                 Register Notice of Intent to Prepare a                the maximum potential Level B
                                                  not have an unmitigable adverse impact                  programmatic EIS for Cook Inlet (79 FR                harassment zones (1,359 m and 3,981 m
                                                  on the availability of such species or                  61616; October 14, 2014). We are                      for impact and vibratory pile driving,
                                                  stock for subsistence uses. Based on                    continuing the process of developing                  respectively), the IHA will require a
                                                  currently available scientific evidence,                the PEIS and will consider the potential              more stringent shutdown measure. POA
                                                  NMFS determined that the impacts of                     authorization of take incidental to                   must shut-down upon observation of a
                                                  the Test Pile Program would meet these                  sound producing activities. The PEIS is               single beluga whale within or
                                                  standards. Moreover, POA proposed and                   meant to address hypothetical                         approaching the maximum potential
                                                  NMFS required a comprehensive                           increasing future levels of activity in               Level B harassment zones when driving
                                                  mitigation plan to reduce impacts to                    Cook Inlet which, cumulatively, may                   unattenuated piles, and within a
                                                  Cook Inlet beluga whales and other                      have a significant impact on the human                modified zone when piles are driven
                                                  marine mammals to the lowest level                      environment. In the interim, NMFS is                  using sound attenuation systems. See
                                                  practicable.                                            evaluating each activity individually,                ‘‘Mitigation’’ for more details of this
                                                     Our analysis utilizing best available                taking into consideration cumulative                  shutdown requirement.
                                                  information indicates that issuance of                  impacts, with an EA, to determine if the                 As described in the notice of
                                                  this IHA is not expected to, and is not                 action under consideration can support                proposed authorization, NMFS will not
                                                  reasonably likely to, adversely affect the              a Finding of No Significant Impact                    require POA to shut down if five or
                                                  species or stock through effects on                     (FONSI). For this IHA, NMFS                           more harbor porpoises or killer whales
                                                  annual rates of recruitment or survival.                determined that the Test Pile Program                 are observed approaching or within the
                                                  The ESA Biological Opinion determined                   will not have a significant impact on the             Level B harassment zones for impact
                                                  that the issuance of an IHA is not likely               human environment, as specified in its                and vibratory pile driving. The assumed
                                                  to jeopardize the continued existence of                FONSI.                                                benefit of such a measure is not well
                                                  the Cook Inlet beluga whales or destroy                    Comment 4: The Commission                          understood, and shutting down during
                                                  or adversely modify Cook Inlet beluga                   recommended that NMFS adopt a                         these rare occurrences risks seizing of
                                                  whale critical habitat. Based on the                    consistent approach when determining                  the pile, in which the pile becomes
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                                                  analysis of potential effects and the                   the potential number of takes of beluga               stuck in the substrate. This may result
                                                  conservative mitigation and monitoring                  whales in Cook Inlet for future                       in loss of 10% of the total data from the
                                                  program, NMFS determined that the                       incidental take authorization                         Test Pile Program and 100% of the data
                                                  activity would have a negligible impact                 applications regarding sound-producing                from the seized pile, which would
                                                  on the population.                                      activities.                                           greatly reduce the Program’s usefulness.
                                                     As additional research is conducted to                  Response: While NMFS strives for                   Depending on which pile seized it could
                                                  determine the impact of various                         consistency where appropriate, it is                  represent complete data loss for a
                                                  stressors on the Cook Inlet beluga whale                important to note that there are a                    certain sound attenuation treatment


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                                                                                Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                             15051

                                                  type (i.e. encapsulated bubble curtain                  completed by July of 2016, the project’s              and also within species. Because of the
                                                  and adBM resonance system). Since this                  activities could overlap with the time                influences of numerous variables,
                                                  data will be helpful to both POA and                    period with the largest annual beluga                 behavioral responses are difficult to
                                                  NMFS in the future to help assess                       presence.                                             predict given present information.
                                                  impacts of future actions and inform                      Response: The section on Anticipated                Furthermore, any biological significance
                                                  development of mitigation that could                    Effects on Habitat found later in this                of an observed behavioral response is
                                                  have conservation value, NMFS does                      notice describes in detail how the                    extremely difficult to assess (NRC,
                                                  not want to risk losing this potentially                ensonified area during the Test Pile                  2005). Additional research is needed to
                                                  valuable data.                                          Program represents less than 1% of                    quantify behavioral reactions of a
                                                     Comment 6: FoA commented that                        designated critical habitat in Area 1.                greater number of free-ranging marine
                                                  NMFS is in violation of the Marine                      Furthermore, the POA and adjacent                     mammal species to specific exposures
                                                  Mammal Protection Act (MMPA) since                      navigation channel were excluded from                 from different human sound sources.
                                                  that FoA believes large numbers of                      critical habitat designation due to                   This is an area of increasing interest and
                                                  beluga whales will be harassed and that                 national security reasons (76 FR 20180,               as new data becomes available NMFS
                                                  significant non-negligible impacts to                   April 11, 2011).                                      will incorporate this information into
                                                  whales will occur. CBD/HSUS                               Although POA has requested that a                   future assessments.
                                                  commented that the small numbers                        one-year authorization period running                    NMFS also understands that
                                                  analysis and negligible impact                          from April 1, 2016 through March 31,                  observing every beluga whale that enters
                                                  determination were deficient.                           2017, POA intends to complete all Test                into the zones of influence may not be
                                                     Response: NMFS utilized the best                     Pile Program activities prior to July 1,              possible given the large size of the
                                                  available scientific evidence to                        2016. If the Program extends beyond                   maximum potential vibratory pile
                                                  determine whether the taking by the                     that date, note that NMFS’ analysis and               driving Level B harassment zone (3,981
                                                  specified activity will have a negligible               determination of authorized take levels               m). However, piles driven using sound
                                                  impact on the species or stock. NMFS                    are conservative in that they are based               attenuation systems are expected to
                                                  determined that the impacts of the Test                 on the density of beluga whales during                have much smaller Level B harassment
                                                  Pile Program would meet these                           the summer months when                                zones (approximately 300–900 m; see
                                                  standards. See the Analysis and                         concentrations are higher. Even though                ‘‘Mitigation’’ for further detail).
                                                  Determinations section on Negligible                    POA plans to start in spring and finish               Additionally, POA will employ a robust
                                                  Impact Analysis later in this Notice.                   early summer, should pile driving                     monitoring program which will include
                                                  Similarly, the Biological Opinion                       extend past July 1, the take estimates                marine mammal observers (MMOs) in
                                                  determined that the issuance of an IHA                  presented here would likely be                        an elevated platform and personnel on
                                                  is not likely to jeopardize the continued               conservative. Therefore, continuation of              hydroacoustic monitoring vessels.
                                                  existence of the Cook Inlet beluga                      planned pile driving beyond July 1,                   MMOs will have been trained in
                                                  whales or destroy or adversely modify                   2016 would not affect our                             identifying changes in behavior that
                                                  Cook Inlet beluga whale critical habitat.               determinations.                                       may occur due to exposure to pile
                                                  Moreover, NMFS has required as part of                    Comment 8: NMFS stated that no                      driving activities. Furthermore, Level A
                                                  the IHA a rigorous mitigation plan to                   apparent behavioral changes have been                 harassment (injury) is not anticipated to
                                                  reduce potential impacts to Cook Inlet                  observed when belugas were sighted                    occur due to the shutdown protocols
                                                  beluga whales and other marine                          near construction activities including                required of POA. Given this information
                                                  mammals to the lowest level                             pile driving and dredging in Cook Inlet.              NMFS is confident POA can reliably
                                                  practicable.                                            As such, CBD/HSUS urged NMFS to                       monitor beluga whales in the zones of
                                                     Finally, we determined the Test Pile                 obtain data on behavioral modifications               influence and identify and record
                                                  Program would take only small numbers                   in order to properly conduct its                      behavioral impacts.
                                                  of marine mammals relative to their                     negligible impact determination.                         Comment 9: FoA noted that
                                                  population sizes. The number of belugas                 Furthermore, FoA noted that any effects               anthropogenic noises can result in
                                                  likely to be taken represents less than                 may not always be visible to the naked                masking hindering the ability of whales
                                                  ten percent of the population. Some of                  eye or visible at all (e.g., internal injury).        to communicate. FoA also noted that
                                                  these takes may represent single                        FoA stated that NMFS has not                          anthropogenic activities can result in
                                                  individuals experiencing multiple takes.                adequately accounted for the high                     noise that can provoke temporary
                                                  In addition to this quantitative                        mobility of beluga whales or                          threshold shift (TTS) or permanent
                                                  evaluation, NMFS has also considered                    unpredictability of being able to                     threshold shift (PTS) while NMFS stated
                                                  the seasonal distribution and habitat use               adequately observe these animals when                 in the proposed authorization that no
                                                  patterns of Cook Inlet beluga whales and                the agency evaluated POA’s request for                marine mammals have been shown to
                                                  rigorous mitigation requirements to                     an IHA and its mitigation and                         experience TTS or PTS as a result of
                                                  determine that the number of beluga                     monitoring measures. FoA recommends                   pile driving activities.
                                                  whales likely to be taken is small. See                 that NMFS should do so before                            Response: NMFS acknowledged in the
                                                  the Analyses and Determinations                         proceeding in making its decision.                    proposed Federal Register notice that
                                                  section later in this document for more                   Response: Available data describing                 masking may occur due to
                                                  information about the negligible impact                 behavioral impacts associated with                    anthropogenic sounds occurring in
                                                  and small numbers determinations for                    marine noise is limited in several ways               frequency ranges utilized by beluga
                                                  beluga whales and other marine                          according to Southall et al. 2007.                    whales. NMFS, however, believes that
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                                                  mammal species for which take has                       Insufficient data exist to support criteria           the short-term duration and limited
                                                  been authorized.                                        other than those based on SPL alone,                  affected area would not result in
                                                     Comment 7: FoA and CBD/HSUS                          and this metric fails to account for the              significant impacts from masking.
                                                  noted that the proposed activities would                duration of exposure beyond the                       NMFS wrote that although no marine
                                                  impact beluga habitat which is                          difference between pulse and non-pulse                mammals have been shown to
                                                  considered Type 1 or high value/high                    sounds. Additionally, there is much                   experience TTS or PTS as a result of
                                                  sensitivity habitat. FoA is also                        variability in responses among species                being exposed to pile driving activities,
                                                  concerned that if pile driving is not                   of the same functional hearing group                  captive bottlenose dolphins and beluga


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                                                  15052                         Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                  whales exhibited changes in behavior                    Marine Stock Assessments and the most                 or stocks and no unmitigable adverse
                                                  when exposed to strong pulsed sounds                    recent abundance estimate for Cook                    impact on marine mammal availability
                                                  (Finneran et al., 2000, 2002, 2005). The                Inlet beluga whales (Shelden et al.,                  for relevant subsistence uses. If those
                                                  animals tolerated high received levels of               2015) are part of NMFS’ Administrative                standards are met and the expected take
                                                  sound before exhibiting aversive                        Record for this action, and provided the              is limited to small numbers of marine
                                                  behaviors. Experiments on a beluga                      decision maker with information                       mammals, NMFS must issue an IHA
                                                  whale showed that exposure to a single                  regarding other activities in the action              that contains the required mitigation,
                                                  watergun impulse at a received level of                 area that affect marine mammals, an                   monitoring, and reporting requirements.
                                                  207 kPa (30 psi), which is equivalent to                analysis of cumulative impacts, and                      Comment 14: CBD/HSUS
                                                  228 dB, resulted in a 7 and 6 dB TTS                    other information relevant to the                     recommended that NMFS issue and
                                                  in the beluga whale at 0.4 and 30 kHz,                  determination made under the MMPA.                    finalize a draft recovery plan as is
                                                  respectively. Thresholds returned to                       Comment 11: FoA commented that                     required under the Endangered Species
                                                  within 2 dB of the pre-exposure level                   issuing the IHA would violate the                     Act (ESA) and not issue an IHA until
                                                  within four minutes of the exposure                     Endangered Species Act as a permit                    this has occurred.
                                                  (Finneran et al., 2002). Although the                   (IHA) cannot be issued if taking will                    Response: The Cook Inlet Beluga
                                                  source level of pile driving from one                   appreciably reduce the likelihood of                  Whale Recovery Plan is currently under
                                                  hammer strike is expected to be much                    survival and recovery of the species in               development and NMFS is working
                                                  lower than the single watergun impulse                  the wild. Additionally, FoA believes                  towards its completion. A final recovery
                                                  cited here, animals exposed for a                       that mitigation of noise and other                    plan is not required for issuance of the
                                                  prolonged period to repeated hammer                     impacts do not go far enough to fully                 IHA.
                                                  strikes could receive more sound                        protect the Cook Inlet beluga whales                     Comment 15: CBD/HSUS urged
                                                  exposure in terms of SEL than from the                  from the many threats facing them.                    NMFS not to issue an IHA until the
                                                  single watergun impulse (estimated at                      Response: NMFS’ Biological Opinion
                                                                                                                                                                agency adopts a comprehensive
                                                  188 dB re 1 mPa2-s) in the                              concluded that the issuance of an IHA
                                                                                                                                                                monitoring plan.
                                                  aforementioned experiment (Finneran et                  is not likely to jeopardize the continued
                                                                                                                                                                   Response: The commenter did not
                                                  al., 2002). However, in order for marine                existence of the Cook Inlet beluga
                                                                                                                                                                explain what it meant by
                                                  mammals to experience TTS or PTS, the                   whales or destroy or adversely modify
                                                                                                                                                                ‘‘comprehensive monitoring plan.’’
                                                  animals have to be close enough to be                   Cook Inlet beluga whale critical habitat.
                                                                                                          NMFS has revised its IHA requirements                 However, NMFS has conducted aerial
                                                  exposed to high intensity sound levels                                                                        monitoring surveys of beluga whales in
                                                  for a prolonged period of time. Based on                to require shutdown upon observation
                                                                                                          of one beluga whale within or                         Cook Inlet on an annual basis since
                                                  the best scientific information available,                                                                    1993 and this monitoring is likely to
                                                  NMFS finds that with mitigation                         approaching the area expected to
                                                                                                          contain sound exceeding NMFS’ criteria                continue in the foreseeable future.
                                                  protocols in place, including a 100                                                                           Furthermore, an important component
                                                  meter shut-down zone, sound pressure                    for Level B harassment. See response to
                                                                                                          comment #8. NMFS acknowledges the                     of the Draft Cook Inlet Beluga Whale
                                                  levels (SPLs) that marine mammals
                                                                                                          difficulties of monitoring in the field,              Recovery Plan includes comprehensive
                                                  might reasonably be anticipated to
                                                                                                          particularly at long distances. However,              population monitoring. Under the draft
                                                  experience as part of the Test Pile
                                                                                                          NMFS believes the required mitigation                 recovery plan, NMFS would continue to
                                                  Program are below the thresholds that
                                                                                                          and related monitoring satisfy the                    conduct aerial and photo-identification
                                                  could result in TTS or the onset of PTS.
                                                     Comment 10: FoA noted that NMFS                      requirements of the MMPA.                             surveys to estimate abundance, and
                                                  did not evaluate cumulative impacts as                     Comment 12: FoA stated that issuing                analyze population trends, calving rates,
                                                  part of its analysis. CBD/HSUS also                     the IHA would violate NEPA as NMFS                    and distribution.
                                                  urged NMFS to conduct an analysis of                    did not prepare an EIS.                                  Comment 16: CBD/HSUS argue that
                                                  cumulative effects of construction and                     Response: The purpose of an EA is to               NMFS improperly estimated take by
                                                  operation of the Anchorage Port                         evaluate the environmental impacts of                 using data from only summer months
                                                  Modernization Project (APMP).                           an action and determine if a proposed                 when the IHA is authorized for a one-
                                                     Response: Neither the MMPA nor                       action or its alternatives have                       year period. CBD/HSUS also allege that
                                                  NMFS’ implementing regulations                          potentially significant environmental                 NMFS underestimated the size of the
                                                  specify how to consider other activities                effects. The EA process concludes with                group factor which was included in the
                                                  and their impacts on the same                           either a Finding of No Significant                    final take estimation.
                                                  populations when conducting a                           Impact or a determination to prepare an                  Response: The predictive beluga
                                                  negligible impact analysis. However,                    Environmental Impact Statement. NMFS                  habitat model described in Goetz et al.
                                                  consistent with the 1989 preamble for                   issued a Finding of No Significant                    2012 was used by POA and NMFS to
                                                  NMFS’ implementing regulations (54 FR                   Impact (FONSI) detailing the reasons                  estimate density. This is considered to
                                                  40338, September 29, 1989), the impacts                 why the agency has determined that the                be the best information available, and
                                                  from other past and ongoing                             action will have no significant impacts.              incorporates National Marine Mammal
                                                  anthropogenic activities are                               Comment 13: FoA commented that                     Laboratory data collected during the
                                                  incorporated into the negligible impact                 NMFS must include a discussion of                     months of June and July between 1994
                                                  analysis via their impacts on the                       ethics and the rights of wildlife when                and 2008. There is no data of similar
                                                  environmental baseline (e.g., as                        assessing the potential harassment of                 quality available for the spring and early
                                                  reflected in the density/distribution and               marine life.                                          summer time frame. The authorized take
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                                                  status of the species, population size                     Response: NMFS’ does not have                      estimates for the Test Pile Program were
                                                  and growth rate, and ambient noise).                    authority under section 101(a)(5)(D) of               based on the assumption that pile-
                                                     In addition, cumulative effects were                 the MMPA to consider these issues in                  driving operations would take place
                                                  addressed in the EA and Biological                      making a decision. As enacted by                      between April 1 and July 1, 2016 and
                                                  Opinion prepared for this action. The                   Congress, our only authority under that               that beluga density outside the June-July
                                                  APMP is specifically considered in the                  provision is to evaluate the specified                period would be lower. Therefore,
                                                  cumulative effects section of the EA.                   activity to determine if it will have a               NMFS considers the use of the Goetz et
                                                  These documents, as well as the Alaska                  negligible impact on the affected species             al. 2012 summer data to estimate take


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                                                                                Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                                                 15053

                                                  for the April 1 through July 1 period to                   acknowledge there is more recent                                   permanent) for acute exposure to
                                                  be conservative and appropriate.                           information bearing on behavioral                                  underwater anthropogenic sound
                                                     The section on Estimated Take by                        reactions to seismic airguns, but those                            sources. That Guidance is undergoing
                                                  Incidental Harassment later in this                        data only illustrate how complex and                               an extensive process involving peer
                                                  document explains why the density data                     context-dependent the relationship is                              review and public comment, and is
                                                  used for estimating potential beluga                       between the two. The 120 dB re 1mPa                                expected to be finalized sometime in
                                                  exposures does not fully reflect the                       (rms) threshold for noise originates from                          2016. See 80 FR 45642 (July 31, 2015).
                                                  nature of local beluga occurrence and                      research on baleen whales, specifically
                                                  also provides a statistically defensible                   migrating gray whales (Malme et al.                                Description of Marine Mammals in the
                                                  justification for the size of the large                    1984; predicted 50% probability of                                 Area of the Specified Activity
                                                  group factor which was selected by                         avoidance) and bowhead whales                                        There are five marine mammal
                                                  NMFS. Note that while larger groups of                     reacting when exposed to industrial                                species known to occur in the vicinity
                                                  beluga whales have frequently been                         (i.e., drilling and dredging) activities                           of the project area. These are the Cook
                                                  observed in Cook Inlet, NMFS’ finding                      (non-impulsive sound source)                                       Inlet beluga whale, killer whale, Steller
                                                  is based on groups that were actually                      (Richardson et al. 1990). NMFS is                                  sea lion, harbor porpoise, and harbor
                                                  observed near POA.                                         working to develop guidance to help                                seal.
                                                     Comment 17: CBD/HSUS stated that it                     determine Level B harassment
                                                  is inappropriate for NMFS to use the                       thresholds. Note, however, it is not a                               We reviewed POA’s detailed species
                                                  current, outdated, generic sound                           matter of merely replacing the existing                            descriptions, including life history
                                                  thresholds of 180 dB and 160/120dB                         threshold with a new one. Due to the                               information, for accuracy and
                                                  levels (impact/non-impact) as                              complexity of the task, any guidance                               completeness and refer the reader to
                                                  thresholds for Level A and Level B                         will require a rigorous review that                                Section 3 of POA’s application as well
                                                  harassment when it has already                             includes internal agency review, public                            as our notice of proposed IHA published
                                                  developed a more appropriate method.                       notice and comment, and additional                                 in the Federal Register (80 FR 78176;
                                                  As such, the agency should not issue                       external peer review before any final                              December 16, 2015) instead of
                                                  IHAs until it has completed its revision                   product is published. In the meantime,                             reprinting the information here. Please
                                                  of acoustic thresholds for Level B take.                   and taking into consideration the facts                            also refer to NMFS’ Web site
                                                     Response: NMFS currently uses 160                       and available science, NMFS                                        (www.nmfs.noaa.gov/pr/species/
                                                  dB root mean square (rms) as the                           determined it is reasonable to use the                             mammals) for generalized species
                                                  exposure level for estimating Level B                      160 dB threshold for impact sources for                            accounts which provide information
                                                  harassment takes from impulse sounds                       estimating takes of marine mammals in                              regarding the biology and behavior of
                                                  for most species in most cases. This                       Cook Inlet by Level B harassment and                               the marine resources that occur in the
                                                  threshold was established for                              the 120 dB threshold for vibratory                                 vicinity of the project area.
                                                  underwater impulse sound sources                           sources.                                                             Table 2 lists marine mammal stocks
                                                  based on measured avoidance responses                         With regard to injury, NMFS is                                  that could occur in the vicinity of the
                                                  observed in whales in the wild.                            developing Guidance for Assessing the                              project that may be subject to
                                                  Specifically, the 160 dB threshold was                     Effects of Anthropogenic Sound on                                  harassment and summarizes key
                                                  derived from data for mother-calf pairs                    Marine Mammal Hearing. Specifically,                               information regarding stock status and
                                                  of migrating gray whales (Malme et al.,                    it will identify the received levels, or                           abundance. Please see NMFS’ Stock
                                                  1983, 1984) and bowhead whales                             acoustic thresholds, above which                                   Assessment Reports (SAR), available at
                                                  (Richardson et al., 1985, 1986)                            individual marine mammals are                                      www.nmfs.noaa.gov/pr/sars, for more
                                                  responding to seismic airguns (e.g.,                       predicted to experience changes in their                           detailed accounts of these stocks’ status
                                                  impulsive sound source). We                                hearing sensitivity (either temporary or                           and abundance.

                                                                                                 TABLE 2—MARINE MAMMALS IN THE PROJECT AREA
                                                            Species or DPS *                                  Abundance                                                                  Comments

                                                  Cook       Inlet    beluga     whale       312 a   ...............................................    Occurs in the project area. Listed as Depleted under the MMPA, En-
                                                     (Delphinapterus leucas).                                                                            dangered under ESA.
                                                  Killer (Orca) whale (Orcinus orca) ..      2,347 Resident 587 Transientb .....                        Occurs rarely in the project area. No special status or ESA listing.
                                                  Harbor       porpoise     (Phocoena        31,046 c ..........................................        Occurs occasionally in the project area. No special status or ESA list-
                                                     phocoena).                                                                                          ing.
                                                  Harbor seal (Phoca vitulina) ...........   27,386 d ..........................................        Occurs in the project area. No special status or ESA listing.
                                                  Steller    sea   lion   (Eumetopias        49,497 e ..........................................        Occurs rarely within the project area. Listed as Depleted under the
                                                     jubatus).                                                                                           MMPA, Endangered under ESA.
                                                    * DPS refers to distinct population segment under the ESA, and is treated as a species.
                                                    a Abundance estimate for the Cook Inlet stock. Allen and Angliss, 2015; Shelden et al., 2015.
                                                    b Abundance estimate for the Eastern North Pacific Alaska Resident stock; the estimate for the transient population is for the Gulf of Alaska,
                                                  Aleutian Islands, and Bering Sea stock.
                                                    c Abundance estimate for the Gulf of Alaska stock.
                                                    d Abundance estimate for the Cook Inlet/Shelikof stock.
                                                    e Abundance estimate for the Western U.S. Stock.
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                                                    Sources for populations estimates other than Cook inlet beluga whales: Allen and Angliss 2013, 2014, 2015.


                                                  Potential Effects of the Specified                         December 16, 2015) provides a general                              construction activities on marine
                                                  Activity on Marine Mammals                                 background on sound relevant to the                                mammals, and is not repeated here.
                                                                                                             specified activity as well as a detailed
                                                    The Federal Register notice of                           description of marine mammal hearing
                                                  proposed authorization (80 FR 78176;                       and of the potential effects of these


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                                                  15054                         Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                  Anticipated Effects on Habitat                          Type 2 Habitat, though excluded from                    In summary, the long-term effects of
                                                     We described potential impacts to                    the critical habitat designation due to               any prey displacements are not
                                                  marine mammal habitat in detail in our                  national security considerations.                     expected to affect the overall fitness of
                                                  Federal Register notice of proposed                        Note that the amount of critical                   the Cook Inlet beluga whale population
                                                  authorization. The proposed Test Pile                   habitat impacted by the Test Pile                     or other affected species; effects will be
                                                  Program will not result in permanent                    Program is relatively small. The POA is               minor and will terminate after cessation
                                                  impacts to habitats used by marine                      planning to install test piles at 6                   of the proposed Test Pile Program. Due
                                                  mammals. Pile installation may                          locations arranged on a roughly north-                to the short duration of the activities
                                                  temporarily increase turbidity resulting                south alignment. The maximum overlap                  and the relatively small area of the
                                                  from suspended sediments. Any                           with critical habitat to the north is 1,677           habitat affected, the impacts to marine
                                                  increases would be temporary,                           acres (6.79 sq. km; 2.62 sq. mi.), and the            mammal habitat are not expected to
                                                  localized, and minimal. POA must                        maximum overlap to the south is 2,113                 cause significant or long-term negative
                                                  comply with state water quality                         acres (8.55 sq. km; 3.3 sq. mi.),                     consequences for individual marine
                                                  standards during these operations by                    depending on pile location. The two                   mammals or their populations,
                                                  limiting the extent of turbidity to the                 maxima will not occur at the same time                including Cook Inlet beluga whales.
                                                  immediate project area. In general,                     because pile installation will only take              Mitigation
                                                  turbidity associated with pile                          place at one pile at a time; the northern-
                                                  installation is localized to about a 25-                most maximum is for the northern-most                    In order to issue an IHA under section
                                                  foot radius around the pile (Everitt et al.             pile, and the southern-most maximum is                101(a)(5)(D) of the MMPA, NMFS must
                                                  1980). Cetaceans are not expected to be                 for the southern-most pile. As pile                   set forth the permissible methods of
                                                  close enough to the project site driving                location changes, the ensonified area on              taking pursuant to such activity, ‘‘and
                                                  areas to experience effects of turbidity,               one side decreases as it increases on the             other means of effecting the least
                                                  and any pinnipeds will be transiting the                other side. Pile installation in the center           practicable impact on such species or
                                                  terminal area and could avoid localized                 of the north-south alignment will                     stock and its habitat, paying particular
                                                  areas of turbidity. Therefore, the impact               ensonify the smallest area of critical                attention to rookeries, mating grounds,
                                                  from increased turbidity levels is                      habitat. The area excluded due to                     and areas of similar significance, and on
                                                  expected to be discountable to marine                   national security was not included in                 the availability of such species or stock
                                                  mammals. The proposed Test Pile                         these measurements. For all pile                      for taking’’ for certain subsistence uses.
                                                  Program will result in temporary                        locations, the temporarily ensonified                    Measurements from similar pile
                                                  changes in the acoustic environment.                    area represents less than 1% of                       driving events were utilized to estimate
                                                  Marine mammals may experience a                         designated critical habitat.                          zones of influence (ZOI; see ‘‘Estimated
                                                  temporary loss of habitat because of                       Beluga whales have been observed                   Take by Incidental Harassment’’). ZOIs
                                                  temporarily elevated noise levels. The                  most often in the POA area at low tide                are often used to establish a mitigation
                                                  most likely impact to marine mammal                     in the fall, peaking in late August to                zone around each pile (when deemed
                                                  habitat would be minor impacts to the                   early September (Markowitz and                        practicable) and to identify where Level
                                                  immediate substrate during installation                 McGuire 2007; Cornick and Saxon-                      A harassment to marine mammals may
                                                  of piles during the proposed Test Pile                  Kendall 2008). Although the POA                       occur, and also provide estimates of the
                                                  Program. The Cook Inlet beluga whale is                 scientific monitoring studies indicate                areas Level B harassment zones. ZOIs
                                                  the only marine mammal species in the                   that the area is not used frequently by               may vary between different diameter
                                                  project area that has critical habitat                  many beluga whales, individuals and                   piles and types of installation methods.
                                                  designated in Cook Inlet. NMFS has                      sometimes large groups of beluga                      POA will employ the following
                                                  characterized the relative value of four                whales have been observed passing                     mitigation measures, which were
                                                  habitats as part of the management and                  through the area when traveling                       contained in the notice of proposed IHA
                                                  recovery strategy in its Final                          between lower and upper Knik Arm.                     with modifications as noted here:
                                                  Conservation Plan for the Cook Inlet                    Diving and traveling have been the most                  (a) Conduct briefings between
                                                  beluga whale (NMFS 2008a). These are                    common behaviors observed, with                       construction supervisors and crews,
                                                  sites where beluga whales are most                      instances of confirmed feeding.                       marine mammal monitoring team, and
                                                  consistently observed, where feeding                    However, the most likely impact to                    POA staff prior to the start of all pile
                                                  behavior has been documented, and                       marine mammal prey from the proposed                  driving activity, and when new
                                                  where dense numbers of whales occur                     Test Pile Program will be temporary                   personnel join the work, in order to
                                                  within a relatively confined area of the                avoidance of the immediate area. In                   explain responsibilities, communication
                                                  inlet. Type 1 Habitat is termed ‘‘High                  general, the nearer the animal is to the              procedures, marine mammal monitoring
                                                  Value/High Sensitivity’’ and includes                   source the higher the likelihood of high              protocol, and operational procedures.
                                                  what NMFS believes to be the most                       energy and a resultant effect (such as                   (b) For in-water heavy machinery
                                                  important and sensitive areas of the                    mild, moderate, mortal injury). Affected              work other than pile driving (using, e.g.,
                                                  Cook Inlet for beluga whales. Type 2                    fish would represent only a small                     standard barges, tug boats, barge-
                                                  Habitat is termed ‘‘High Value’’ and                    portion of food available to beluga                   mounted excavators, or clamshell
                                                  includes summer feeding areas and                       whales in the area. The duration of fish              equipment used to place or remove
                                                  winter habitats in waters where whales                  avoidance of this area after pile driving             material), if a marine mammal comes
                                                  typically occur in lesser densities or in               stops is unknown, but a rapid return to               within 10 m, operations shall cease and
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                                                  deeper waters. Type 3 Habitat occurs in                 normal recruitment, distribution, and                 vessels shall reduce speed to the
                                                  the offshore areas of the mid and upper                 behavior is anticipated. Any behavioral               minimum level required to maintain
                                                  inlet and also includes wintering                       avoidance by fish of the disturbed area               steerage and safe working conditions.
                                                  habitat. Type 4 Habitat describes the                   will still leave significantly large areas            This type of work could include the
                                                  remaining portions of the range of these                of fish and marine mammal foraging                    following activities: (1) movement of the
                                                  whales within Cook Inlet. The habitat                   habitat in Knik Arm. Therefore, impacts               barge to the pile location or (2)
                                                  that will be directly impacted from Test                to beluga prey species are likely to be               positioning of the pile on the substrate
                                                  Pile activities at the POA is considered                minor and temporary.                                  via a crane (i.e., stabbing the pile).


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                                                                                         Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                                                  15055

                                                    Time Restrictions—Work would occur                                  this area. Note that POA’s acoustic                           attenuation systems are shown in Table
                                                  only during daylight hours, when visual                               monitoring plan includes collection of                        3. The attenuated zones are calculated
                                                  monitoring of marine mammals can be                                   data to verify the level of background                        assuming 10 dB noise reduction
                                                  conducted.                                                            noise in the vicinity of POA. Monitoring                      provided by the encapsulated bubble
                                                    Establishment of Monitoring and                                     of these zones enables observers to be                        system and adBM resonance system
                                                  Shutdown Zones—Monitoring zones                                       aware of and communicate the presence                         treatments (CalTrans, 2012; note that the
                                                  (ZOIs) are the areas in which SPLs                                    of marine mammals in the project area.                        resonance system is expected to provide
                                                  would be expected to equal or exceed                                  The primary purpose of monitoring                             greater attenuation than would the
                                                  160 dB rms for impact driving and 125
                                                                                                                        these zones is for documenting potential                      bubble system, making this a
                                                  dB rms for vibratory driving. Note that
                                                                                                                        incidents of Level B harassment,                              conservative assumption for use of that
                                                  125 dB has been established as the
                                                  appropriate isopleth for Level B                                      although here we require more stringent                       system). Test Pile Program results will
                                                  harassment zone associated with                                       measures associated with beluga whale                         provide more precise information on
                                                  vibratory driving since ambient noise                                 occurrence in the monitoring zone (see                        actual levels of attenuation attained. We
                                                  levels near the POA are likely to be                                  shutdown zone, below). Nominal                                discuss monitoring objectives and
                                                  above 120 dB rms and this value has                                   predicted radial distances for driving                        protocols in greater depth in
                                                  been used previously as a threshold in                                piles with and without the use of sound                       ‘‘Monitoring and Reporting.’’

                                                     TABLE 3—DISTANCES IN METERS TO NMFS’ LEVEL A (INJURY) AND LEVEL B HARASSMENT THRESHOLDS (ISOPLETHS)
                                                       FOR UNATTENUATED AND ATTENUATED 48-INCH-DIAMETER PILE, ASSUMING A 125-dB BACKGROUND NOISE LEVEL

                                                                                                                                                                   Impact                                      Vibratory

                                                                                                                                                  Pinniped,      Cetacean,        Level B        Pinniped,     Cetacean,       Level B
                                                                                      Pile diameter                                                Level A        Level A         Harass-         Level A       Level A        Harass-
                                                                                         (inches)                                                   Injury         Injury          ment            Injury        Injury         ment

                                                                                                                                                   190 dB          180 dB          160 dB         190 dB         180 dB        125 dB

                                                  48, unattenuated ..........................................................................    14 m ........   63 m ........   1,359 m ...    <10 m ......   <10 m ......   3,981 m.
                                                  48, 10 dB Attenuation ..................................................................       <10 m ......    13 m ........   293 m ......   <10 m ......   <10 m ......   858 m.



                                                     In order to document potential                                     utilize soft start techniques for both                        of 100 m radius around all vibratory and
                                                  incidents of harassment, monitors will                                impact and vibratory pile driving. POA                        impact pile activity. These
                                                  record all marine mammal observations                                 will initiate sound from vibratory                            precautionary measures would also
                                                  regardless of location. The observer’s                                hammers for fifteen seconds at reduced                        further reduce the possibility of
                                                  location, as well as the location of the                              energy followed by a 1 minute waiting                         auditory injury and behavioral impacts
                                                  pile being driven, is known from a                                    period, with the procedure repeated two                       as well as limit the unlikely possibility
                                                  global positioning system (GPS). The                                  additional times. For impact driving, we                      of injury from direct physical
                                                  location of the animal is estimated as a                              require an initial set of three strikes                       interaction with construction
                                                  distance from the observer, which is                                  from the impact hammer at reduced                             operations.
                                                  then compared to the location from the                                energy, followed by a thirty-second                              Shut-down for Beluga Whales—In
                                                  pile and the ZOIs for relevant activities                             waiting period, then two subsequent                           order to provide more stringent
                                                  (i.e., pile installation). This information                           three strike sets. Soft start will be                         protections for beluga whales, in-water
                                                  may then be used to extrapolate                                       required at the beginning of each day’s                       pile driving operations will be shut
                                                  observed takes to reach an approximate                                pile driving work and at any time                             down upon observation of any beluga
                                                  understanding of actual total takes, in                               following a cessation of pile driving of                      whale within or approaching the
                                                  the event that the entire monitoring                                  20 minutes or longer (specific to either                      maximum potential Level B harassment
                                                  zone is not visible.                                                  vibratory or impact driving).                                 zone when driving unattenuated piles
                                                     Soft Start—The use of a soft start                                                                                               (1,400 m and 4,000 m for impact and
                                                  procedure is believed to provide                                      Monitoring and Shut-Down for Pile                             vibratory pile driving, respectively).
                                                  additional protection to marine                                       Driving                                                       When driving piles with sound
                                                  mammals by warning or providing a                                       The following measures will apply to                        attenuation systems, POA will
                                                  chance to leave the area prior to the                                 POA:                                                          shutdown upon observation of whales
                                                  hammer operating at full capacity, and                                  Shut-down Zone—For all pile driving                         within or approaching a smaller zone
                                                  typically involves a requirement to                                   activities, POA will establish a shut-                        that NMFS expects would contain
                                                  initiate sound from the hammer for 15                                 down zone. Shut-down zones typically                          sound exceeding relevant harassment
                                                  seconds at reduced energy followed by                                 correspond to the area in which SPLs                          criteria (300 m and 900 m for impact
                                                  a waiting period. This procedure is                                   equal or exceed the 180/90 dB rms                             and vibratory pile driving, respectively).
                                                  repeated two additional times. It is                                  acoustic injury criteria, with the                            Two of ten piles will be driven without
                                                  difficult to specify the reduction in                                 purpose being to define an area within                        use of sound attenuation systems. If
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                                                  energy for any given hammer because of                                which shut-down of activity would                             shut down does occur, pile driving may
                                                  variation across drivers and, for impact                              occur upon sighting of a marine                               not resume until the group is observed
                                                  hammers, the actual number of strikes at                              mammal (or in anticipation of an animal                       exiting the relevant shut down zone or
                                                  reduced energy will vary because                                      entering the defined area), thus                              until 30 minutes have passed without
                                                  operating the hammer at less than full                                preventing potential injury of marine                         re-sighting.
                                                  power results in ‘‘bouncing’’ of the                                  mammals. For marine mammals other                                Visual Marine Mammal
                                                  hammer as it strikes the pile, resulting                              than beluga whales, POA, will                                 Observation—POA will collect sighting
                                                  in multiple ‘‘strikes.’’ The project will                             implement a minimum shut-down zone                            data and behavioral responses to


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                                                  15056                         Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                  construction for marine mammal                             Æ Height of the observation platform,              wind or fog), pile installation will cease
                                                  species observed in the region of                       to maximize field of view and distance                until conditions allow the resumption of
                                                  activity during the period of activity. All                Æ Ability to see the shoreline, along              monitoring.
                                                  observers will be trained in marine                     which beluga whales commonly travel                      • The waters will be scanned 30
                                                  mammal identification and behaviors                        Æ Safety of the MMOs, construction                 minutes prior to commencing pile
                                                  and are required to have no other                       crews, and other people present at the                driving at the beginning of each day,
                                                  construction-related tasks while                        POA                                                   and prior to commencing pile driving
                                                  conducting monitoring. POA will                            Æ Minimizing interference with POA                 after any stoppage of 30 minutes or
                                                  monitor the shut-down zone and                          activities                                            greater. If marine mammals enter or are
                                                  disturbance zones before, during, and                      Height and location of an observation              observed within the designated marine
                                                  after pile driving, with observers located              platform are critical to ensuring that                mammal shutdown zone during or 30
                                                  at the best practicable vantage points.                 MMOs can adequately observe the                       minutes prior to pile driving, the
                                                     At all times, POA will be required to                harassment zone during pile                           monitors will notify the on-site
                                                  monitor the maximum predicted Level                     installation. The platform should be                  construction manager to not begin until
                                                  B zones, regardless of sound attenuation                mobile and able to be relocated to                    the animal has moved outside the
                                                  system used. Although the zones                         maintain maximal viewing conditions
                                                                                                                                                                designated radius.
                                                  employed for shutdown purposes in                       as the construction site shifts along the
                                                                                                                                                                   • The waters will continue to be
                                                  association with driving of attenuated                  waterfront. Past monitoring efforts at the
                                                                                                                                                                scanned for at least 30 minutes after pile
                                                  piles are calculated assuming a 10 dB                   POA took place from a platform built on
                                                                                                                                                                driving has completed each day.
                                                  reduction in sound pressure levels, any                 top of a cargo container or a platform
                                                  beluga whales observed in the larger                    raised by an industrial scissor lift. A               Mitigation Conclusions
                                                  monitoring zone will be recorded and                    similar shore-based, raised, mobile
                                                                                                                                                                   NMFS has carefully evaluated the
                                                  reported as potential take, pending                     observation platform will likely be used
                                                                                                                                                                applicant’s proposed mitigation
                                                  analysis of acoustic monitoring data.                   for the Test Pile Program.
                                                                                                                                                                measures and considered a range of
                                                     Based on our requirements, the                          • POA will be required to monitor the
                                                                                                                                                                other measures in the context of
                                                  Marine Mammal Monitoring Plan would                     maximum potential Level B harassment
                                                                                                                                                                ensuring that NMFS prescribes the
                                                  implement the following procedures for                  zones (1,400 and 4,000 m for impact and
                                                                                                                                                                means of effecting the least practicable
                                                  pile driving:                                           vibratory pile driving, respectively).
                                                                                                             • MMOs will begin observing for                    impact on the affected marine mammal
                                                     • Four MMOs will work concurrently
                                                                                                          marine mammals within the Level A                     species and stocks and their habitat. Our
                                                  in rotating shifts to provide full
                                                                                                          and Level B harassment zones for 30                   evaluation of potential measures
                                                  coverage for marine mammal
                                                                                                          minutes before ‘‘the soft start’’ begins. If          included consideration of the following
                                                  monitoring during in-water pile
                                                                                                          a marine mammal(s) is present within                  factors in relation to one another:
                                                  installation activities for the Test Pile
                                                                                                          the relevant shut-down zone prior to the                 • The manner in which, and the
                                                  Program. MMOs will work in four-
                                                  person teams to increase the probability                ‘‘soft start’’ or if marine mammal occurs             degree to which, the successful
                                                  of detecting marine mammals and to                      during ‘‘soft start’’ pile driving will be            implementation of the measure is
                                                  confirm sightings. Three MMOs will                      delayed until the animal(s) leaves the                expected to minimize adverse impacts
                                                  scan the Level A and Level B                            shut-down zone. Pile driving will                     to marine mammals
                                                  harassment zones surrounding pile-                      resume only after the MMOs have                          • The proven or likely efficacy of the
                                                  driving activities for marine mammals                   determined, through sighting or after 30              specific measure to minimize adverse
                                                  by using big eye binoculars (25X), hand-                minutes with no sighting, that the                    impacts as planned
                                                  held binoculars (7X), and the naked eye.                animal(s) has moved outside the shut-                    • The practicability of the measure
                                                  One MMO will focus on the Level A                       down zone. After 30 minutes, when the                 for applicant implementation.
                                                  harassment zone and two others will                     MMOs are certain that the shut-down                      Any mitigation measure(s) prescribed
                                                  scan the Level B zone. Four MMOs will                   zone is clear of marine mammals, they                 by NMFS should be able to accomplish,
                                                  rotate through these three active                       will authorize the soft start to begin.               have a reasonable likelihood of
                                                  positions every 30 minutes to reduce                       • If a marine mammal other than a                  accomplishing (based on current
                                                  eye strain and increase observer                        beluga whale is traveling along a                     science), or contribute to the
                                                  alertness. The fourth MMO will record                   trajectory that could take it into the                accomplishment of one or more of the
                                                  data on the computer, a less-strenuous                  maximum potential Level B harassment                  general goals listed below:
                                                  activity that will provide the                          zone, the MMO will record the marine                     1. Avoidance or minimization of
                                                  opportunity for some rest. A theodolite                 mammal(s) as a ‘‘take’’ upon entering                 injury or death of marine mammals
                                                  will also be available for use.                         that zone. While the animal remains                   wherever possible (goals 2, 3, and 4 may
                                                     • In order to more effectively monitor               within the Level B harassment zone,                   contribute to this goal).
                                                  the maximum potential Level B                           that pile segment will be completed                      2. A reduction in the numbers of
                                                  harassment zone associated with                         without cessation, unless the animal                  marine mammals (total number or
                                                  vibratory pile driving (i.e., 4,000 m),                 approaches the 100-meter shut-down                    number at biologically important time
                                                  personnel stationed on the                              zone, at which point the MMO will                     or location) exposed to received levels
                                                  hydroacoustic vessels will keep watch                   authorize the immediate shut-down of                  of pile driving, or other activities
                                                  for marine mammals that may approach                    in-water pile driving before the marine               expected to result in the take of marine
                                                  or enter that zone and will communicate                 mammal enters the shut-down zone.                     mammals (this goal may contribute to 1,
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                                                  all sightings to land-based MMOs and                    Pile driving will resume only once the                above, or to reducing harassment takes
                                                  other appropriate shore staff.                          animal has left the shut-down zone on                 only).
                                                     • Before the Test Pile Program                       its own or has not been resighted for a                  3. A reduction in the number of times
                                                  commences, MMOs and POA                                 period of 30 minutes.                                 (total number or number at biologically
                                                  authorities will meet to determine the                     • If waters exceed a sea-state which               important time or location) individuals
                                                  most appropriate observation                            restricts the observers’ ability to make              would be exposed to received levels of
                                                  platform(s) for monitoring during pile                  observations within the relevant marine               pile driving, or other activities expected
                                                  driving. Considerations will include:                   mammal shut-down zone (e.g. excessive                 to result in the take of marine mammals


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                                                                                Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                              15057

                                                  (this goal may contribute to 1, above, or                  2. An increase in our understanding                   A typical daily sequence of operations
                                                  to reducing harassment takes only).                     of how many marine mammals are                        for an acoustic monitoring day will
                                                     4. A reduction in the intensity of                   likely to be exposed to levels of pile                include the following activities:
                                                  exposures (either total number or                       driving that we associate with specific                  • Discussion of the day’s pile-driving
                                                  number at biologically important time                   adverse effects, such as behavioral                   plans with the crew chief or appropriate
                                                  or location) to received levels of pile                 harassment, TTS, or PTS;                              contact and determination of setup
                                                  driving, or other activities expected to                   3. An increase in our understanding                locations for the fixed positions.
                                                  result in the take of marine mammals                    of how marine mammals respond to                      Considerations include the piles to be
                                                  (this goal may contribute to a, above, or               stimuli expected to result in take and                driven and anticipated barge
                                                  to reducing the severity of harassment                  how anticipated adverse effects on                    movements during the day.
                                                  takes only).                                            individuals (in different ways and to                    • Calibration of hydrophones.
                                                     5. Avoidance or minimization of                      varying degrees) may impact the                          • Setup of the near (10-meter) system
                                                  adverse effects to marine mammal                        population, species, or stock                         either on the barge or the existing dock.
                                                  habitat, paying special attention to the                (specifically through effects on annual                  • Deployment of an autonomous or
                                                  food base, activities that block or limit               rates of recruitment or survival) through             cabled hydrophone at one of the distant
                                                  passage to or from biologically                         any of the following methods:                         locations.
                                                  important areas, permanent destruction                     D Behavioral observations in the                      • Recording pile driving operational
                                                  of habitat, or temporary destruction/                   presence of stimuli compared to                       conditions throughout the day.
                                                                                                          observations in the absence of stimuli
                                                  disturbance of habitat during a                                                                                  • Upon conclusion of the day’s pile
                                                  biologically important time.                            (need to be able to accurately predict
                                                                                                                                                                driving, retrieve the remote systems,
                                                     6. For monitoring directly related to                received level, distance from source,
                                                                                                                                                                post- calibrate all the systems, and
                                                  mitigation—an increase in the                           and other pertinent information);
                                                                                                                                                                download all systems.
                                                                                                             D Physiological measurements in the
                                                  probability of detecting marine
                                                                                                          presence of stimuli compared to                          • A stationary hydrophone recording
                                                  mammals, thus allowing for more                                                                               system used to determine SSLs will be
                                                                                                          observations in the absence of stimuli
                                                  effective implementation of the                                                                               suspended either from the pile driving
                                                                                                          (need to be able to accurately predict
                                                  mitigation.                                                                                                   barge or existing docks at approximately
                                                                                                          received level, distance from source,
                                                     Based on our evaluation of the                                                                             10 meters from the pile being driven, for
                                                                                                          and other pertinent information);
                                                  applicant’s proposed measures, as well                     D Distribution and/or abundance                    each pile driven. These data will be
                                                  as other measures considered by NMFS,                   comparisons in times or areas with                    monitored in real-time.
                                                  our determination is that the mitigation                concentrated stimuli versus times or                     • Prior to monitoring, a standard
                                                  measures provide the means of effecting                 areas without stimuli;                                depth sounder will record depth before
                                                  the least practicable impact on marine                     4. An increased knowledge of the                   pile driving commences. The sounder
                                                  mammals species or stocks and their                     affected species; and                                 will be turned off prior to pile driving
                                                  habitat, paying particular attention to                    5. An increase in our understanding                to avoid interference with acoustic
                                                  rookeries, mating grounds, and areas of                 of the effectiveness of certain mitigation            monitoring. Once the monitoring has
                                                  similar significance.                                   and monitoring measures.                              been completed, the water depth will be
                                                                                                                                                                recorded.
                                                  Monitoring and Reporting                                Acoustic Monitoring                                      • A far range hydrophone will be
                                                     In order to issue an ITA for an                         The POA has developed an acoustic                  located at a distance no less than 20
                                                  activity, section 101(a)(5)(D) of the                   monitoring plan titled Anchorage Port                 times the source water depth from the
                                                  MMPA states that NMFS must set forth                    Modernization Project Test Pile Program               pile driving activity outside of the active
                                                  ‘‘requirements pertaining to the                        Draft Hydroacoustic Monitoring                        shipping lanes/dredge area. If possible,
                                                  monitoring and reporting of such                        Framework. Specific details regarding                 this hydrophone should be moored
                                                  taking.’’ The MMPA implementing                         the plan may be found at                              using the same anchoring equipment
                                                  regulations at 50 CFR 216.104 (a)(13)                   www.nmfs.noaa.gov/pr/permits/                         and in the same location as was used for
                                                  indicate that requests for ITAs must                    incidental/construction.htm POA will                  the background noise monitoring. In
                                                  include the suggested means of                          conduct acoustic monitoring for impact                this situation, the hydrophone would be
                                                  accomplishing the necessary monitoring                  pile driving to determine the actual                  located between 500 and 1,000 meters
                                                  and reporting that will result in                       distances to the 190 dB re 1mPa rms, 180              (1,640—3,280 feet) from the indicator
                                                  increased knowledge of the species and                  dB re 1mPa rms, and 160 dB re 1mPa rms                test piles, which is sufficiently greater
                                                  of the level of taking or impacts on                    isopleths, which are used by NMFS to                  than 20 times the source water depth.
                                                  populations of marine mammals that are                  define the Level A injury and Level B                 This hydrophone will also be located in
                                                  expected to be present in the proposed                  harassment zones for pinnipeds and                    waters greater than 10 meters (33 feet)
                                                  action area. POA submitted a marine                     cetaceans for impact pile driving. The                deep and avoid areas of irregular
                                                  mammal monitoring plan as part of the                   POA will also measure background                      bathymetry. The hydrophone will be
                                                  IHA application. It can be found at                     noise levels in the absence of pile                   placed within a few meters of the
                                                  http://www.nmfs.noaa.gov/pr/permits/                    driving activity and will conduct                     bottom in order to reduce flow noise
                                                  incidental/construction.htm.                            acoustic monitoring for vibratory pile                avoid areas of irregular bathymetry. The
                                                     Monitoring measures prescribed by                    driving to determine the actual distance              hydrophone will be placed within a few
                                                  NMFS should accomplish one or more                      to the point at which the signal becomes              meters of the bottom in order to reduce
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                                                  of the following general goals:                         indistiuinguishable from background                   flow noise
                                                     1. An increase in the probability of                 sound levels (assuming these are greater
                                                  detecting marine mammals, both within                   than 120 dB). Encapsulated bubble                     Vessel-Based Hydrophones (One to Two
                                                  the mitigation zone (thus allowing for                  curtains and resonance-based                          Locations)
                                                  more effective implementation of the                    attenuation systems will be tested                      • An acoustic vessel with a single-
                                                  mitigation) and in general to generate                  during installation of some piles to                  channel hydrophone will be in the Knik
                                                  more data to contribute to the analyses                 determine their relative effectiveness at             Arm open water environment to
                                                  mentioned below;                                        attenuating underwater noise.                         monitor near-field and real-time


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                                                  15058                         Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                  isopleths for marine mammals (Figure                      • Distance from pile driving activities             The method used for calculating
                                                  13–1, Figure 13–4 in Application).                      to marine mammals and distance from                   potential exposures to impact and
                                                     • Continuous measurements will be                    the marine mammals to the observation                 vibratory pile driving noise for each
                                                  made using a sound level meter.                         point;                                                threshold was estimated using a habitat-
                                                     • One or two acoustic vessels are                      • Locations of all marine mammal                    based predictive density model (Goetz
                                                  proposed to deploy hydrophones that                     observations; and                                     et al., 2012) and local marine mammal
                                                  will be used to collect data to estimate                  • Other human activity in the area.                 data sets.
                                                  the distance to far-field sound levels                  Ambient Noise
                                                  (i.e., the 120–125-dB zone for vibratory                                                                      Harbor Seal and Harbor Porpoise
                                                  and 160-dB zone for impact driving).                      Ambient noise will be collected                        Estimated take for harbor seals and
                                                     • During the vessel-based recordings,                according to the NMFS’ guidance                       harbor porpoises was modified from the
                                                  the engine and any depth finders must                   memorandum issued on January 31,                      levels published in the Federal Register
                                                  be turned off. The vessel must be silent                2012, titled Data Collection Methods to               notice of proposed authorization. This
                                                  and drifting during spot recordings.                    Characterize Underwater Background                    change was based on discussion with
                                                     • Either a weighted tape measure or                  Sound Relevant to Marine Mammals in                   the Marine Mammal Commission.
                                                  an electronic depth finder will be used                 Coastal Nearshore Waters and Rivers of                NMFS had originally proposed 31
                                                  to determine the depth of the water                     Washington and Oregon (NMFS 2012).                    harbor seal takes and 37 harbor porpoise
                                                  before measurement and upon                             This guidance is considered to be                     takes. The Commission felt that there
                                                  completion of measurements. A GPS                       generally applicable for marine                       was a strong likelihood that more harbor
                                                  unit or range finder will be used to                    conditions and hydroacoustic                          seals would be taken compared to
                                                  determine the distance of the                           monitoring in Alaska.                                 harbor porpoises. NMFS had estimated
                                                  measurement site to the piles being                     Reporting                                             that one animal of each species would
                                                  driven.                                                                                                       be taken per day resulting in 31 per
                                                     • Prior to and during the pile-driving                  POA will notify NMFS prior to the                  species. NMFS also added 6 take for
                                                  activity, environmental data will be                    initiation of the pile driving activities             harbor porpoises as a contingency since
                                                  gathered, such as water depth and tidal                 and will provide NMFS with a draft                    these animals are known to travel in
                                                  level, wave height, and other factors,                  monitoring report within 90 days of the               pods.
                                                  that could contribute to influencing the                conclusion of the proposed construction                  NMFS acknowledges that takes for
                                                  underwater sound levels (e.g., aircraft,                work or 60 days prior to the start of                 various species can be estimated
                                                  boats, etc.). Start and stop time of each               additional work covered under a                       through a variety of methodologies.
                                                  pile-driving event and the time at which                subsequent IHA or Letter of                           NMFS re-calculated take for these two
                                                  the bubble curtain is turned on and off                 Authorization. This report will detail                species. As a conservative measure,
                                                  will be logged.                                         the monitoring protocol, summarize the                daily individual sighting rates for any
                                                     • The construction contractor will                   data recorded during monitoring, and                  recorded year were generally used to
                                                  provide relevant information, in writing,               estimate the number of marine                         quantify take of harbor seals and harbor
                                                  to the hydroacoustic monitoring                         mammals that may have been harassed.                  porpoises for pile driving associated
                                                  contractor for inclusion in the final                   If no comments are received from NMFS                 with the Test Pile Program. Data was
                                                  monitoring report:                                      within 30 days, the draft final report                collected as part of the MTRP Scientific
                                                                                                          will constitute the final report. If                  Monitoring program, which took place
                                                  Data Collection                                         comments are received, a final report                 from 2008 through 2011 (Cornick et al.
                                                     MMOs will use approved data forms.                   must be submitted within 30 days after                2008. 2009, 2010, 2011).
                                                  Among other pieces of information,                      receipt of comments.                                     The following equation was used to
                                                  POA will record detailed information                                                                          estimate harbor seal and harbor
                                                                                                          Estimated Take by Incidental
                                                  about any implementation of shut-                                                                             porpoise exposures
                                                                                                          Harassment
                                                  downs, including the distance of                                                                              Exposure estimate = (N) * # days of pile
                                                  animals to the pile and description of                     Except with respect to certain
                                                                                                                                                                     driving per site,
                                                  specific actions that ensued and                        activities not pertinent here, section
                                                                                                          3(18) of the MMPA defines                             Where:
                                                  resulting behavior of the animal, if any.
                                                  In addition, POA will attempt to                        ‘‘harassment’’ as: ‘‘. . . any act of                 N = highest daily abundance estimate for
                                                                                                          pursuit, torment, or annoyance which (i)                  each species in project area.
                                                  distinguish between the number of
                                                  individual animals taken and the                        has the potential to injure a marine                    For harbor porpoises there was only a
                                                  number of incidents of take. At a                       mammal or marine mammal stock in the                  single sighting of more than one animal
                                                  minimum, the following information                      wild [Level A harassment]; or (ii) has                so NMFS opted to use a daily
                                                  would be collected on the sighting                      the potential to disturb a marine                     abundance rate of one for a total
                                                  forms:                                                  mammal or marine mammal stock in the                  authorized take of 31. For harbor seals
                                                     • Date and time that monitored                       wild by causing disruption of behavioral              there were several reports of two or
                                                  activity begins or ends;                                patterns, including, but not limited to,              more animals. Therefore, NMFS applied
                                                     • Construction activities occurring                  migration, breathing, nursing, breeding,              a daily abundance estimate of two for a
                                                  during each observation period;                         feeding, or sheltering [Level B                       total authorized take of 62.
                                                     • Weather parameters (e.g., percent                  harassment].’’
                                                                                                             Given the many uncertainties in                    Steller Sea Lion
                                                  cover, visibility);
                                                     • Water conditions (e.g., sea state,
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                                                                                                          predicting the quantity and types of                    There were three sightings of a single
                                                  tide state);                                            impacts of sound in every given                       Steller sea lion during construction at
                                                     • Species, numbers, and, if possible,                situation on marine mammals, it is                    the POA in 2009, and it is not possible
                                                  sex and age class of marine mammals;                    common practice to estimate how many                  to determine whether it was one or more
                                                     • Description of any observable                      animals are likely to be present within               animals. Alaska marine waters,
                                                  marine mammal behavior patterns,                        a particular distance of a given activity,            including Cook Inlet, are undergoing
                                                  including bearing and direction of travel               or exposed to a particular level of                   environmental changes that are
                                                  and distance from pile driving activity;                sound, based on the available science.                correlated with changes in movements


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                                                                                          Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                                                       15059

                                                  of animals, including marine mammals,                                    take is conservatively estimated at no                          The numbers of beluga whales
                                                  into expanded or contracted ranges. For                                  more than 8 killer whales, or two small                       potentially exposed to noise levels
                                                  example, harbor seals and harbor                                         pods, for the duration of the Test Pile                       above the Level B harassment
                                                  porpoises are increasing in numbers in                                   Program.                                                      thresholds for impact (160 dB) and
                                                  Upper Cook Inlet. It is unknown at this                                                                                                vibratory (125 dB) pile driving were
                                                                                                                           Cook Inlet Beluga Whale
                                                  time what the impacts of environmental                                                                                                 estimated using the following formula:
                                                  change will be on Steller sea lion                                         For beluga whales, aerial surveys of
                                                  movements, but it is possible that                                                                                                     Beluga Exposure Estimate = N * Area *
                                                                                                                           Cook Inlet were completed in June and                             number of days of pile driving,
                                                  Steller sea lions may be sighted more                                    July from 1994 through 2008 (Goetz et
                                                  frequently in Upper Cook Inlet, which is                                 al. 2012). Data from these aerial surveys                     Where:
                                                  generally considered outside their                                       were used along with depth soundings,                         N = maximum predicted # of belugas whales/
                                                  typical range. The Steller sea lions                                     coastal substrate type, an environmental                          km2
                                                  sightings at the POA in 2009 indicate                                    sensitivity index, an index of                                Area = Area of Isopleth (area in km2 within
                                                  that this species can and does occur in                                  anthropogenic disturbance, and                                    the 160-dB isopleth for impact pile
                                                  Upper Cook Inlet. As such, NMFS                                                                                                            driving, or area in km2 within the 125-
                                                                                                                           information on anadromous fish streams
                                                  proposed an encounter rate of 1                                                                                                            dB isopleth for vibratory pile driving)
                                                                                                                           to develop a predictive beluga whale
                                                  individual for every 5 pile driving days                                 habitat model (Goetz et al. 2012)                                The distances to the Level B
                                                  across 31 driving days in the proposed
                                                                                                                             Three different beluga distribution                         harassment and Level A injury isopleths
                                                  authorization published in the Federal
                                                                                                                           maps were produced from the habitat                           were used to estimate the areas of the
                                                  Register. Furthermore, Steller sea lions
                                                                                                                           model based on sightings of beluga                            Level B harassment and Level A injury
                                                  are social animals and often travel in
                                                                                                                           whales during aerial surveys. First, the                      zones associated with driving a 48-inch
                                                  groups, and a single sighting could
                                                                                                                           probability of beluga whale presence                          pile, without consideration of potential
                                                  include more than one individual.
                                                  Therefore, NMFS conservatively                                           was mapped using a binomial (i.e., yes                        effectiveness of sound attenuation
                                                  estimates that six Steller sea lions could                               or no) distribution and the results                           systems. Note that ambient noise is
                                                  to be observed at the POA during the                                     ranged from 0.00 to 0.01. Second, the                         likely elevated in the area, and 125 dB
                                                  proposed timeframe of the Test Pile                                      expected group size was mapped. Group                         is used as a proxy for the background
                                                  Program.                                                                 size followed a Poisson distribution,                         sound level. Distances and areas were
                                                                                                                           which ranged from 1 to 232 individuals                        calculated for both vibratory and impact
                                                  Killer Whales                                                            in a group. Third, the product (i.e.,                         pile driving, and for cetaceans and
                                                    No killer whales were sighted during                                   multiplication) of these predictive                           pinnipeds. Geographic information
                                                  previous monitoring programs for the                                     models produced an expected density                           system software was used to map the
                                                  Knik Arm Crossing and POA                                                model, with beluga whale densities                            Level B harassment and Level A injury
                                                  construction projects, based on a review                                 ranging from 0 to 1.12 beluga whales/                         isopleths from each of the six indicator
                                                  of monitoring reports. The infrequent                                    km2. From this model Goetz et al. (2012)                      test pile locations. Land masses near the
                                                  sightings of killer whales that are                                      developed a raster GIS dataset, which                         POA, including Cairn Point, the North
                                                  reported in upper Cook Inlet tend to                                     provides a predicted density of beluga                        Extension, and Port MacKenzie, act as
                                                  occur when their primary prey                                            whales throughout Cook Inlet at a scale                       barriers to underwater noise and
                                                  (anadromous fish for resident killer                                     of one square kilometer. Habitat maps                         prevent further spread of sound
                                                  whales and beluga whales for transient                                   for beluga whale presence, group size,                        pressure waves. As such, the
                                                  killer whales) are also in the area                                      and density (beluga whales/km2) were                          harassment zones for each threshold
                                                  (Shelden et al. 2003).                                                   produced from these data and resulting                        were truncated and modified with
                                                    With in-water pile driving occurring                                   model, including a raster Geographic                          consideration of these impediments to
                                                  for only about 27 hours over 31 days,                                    Information System data set, which                            sound transmission (See Figures 6–1
                                                  the potential for exposure within the                                    provides a predicted density of beluga                        through 6–6 in the Application). The
                                                  Level B harassment isopleths is                                          whales throughout Cook Inlet at a 1-                          measured areas (Table 6) were then used
                                                  anticipated to be extremely low. Level B                                 km2-scale grid.                                               in take calculations for beluga whales.

                                                                                              TABLE 4—AREAS OF THE LEVEL A AND LEVEL B HARASSMENT ZONES *
                                                                                                                                                     Impact                                                     Vibratory

                                                                                                                                  Pinniped,        Cetacean,                                Pinniped,           Cetacean,          Pinniped,
                                                                        Indicator teste piles                                                                          Level B
                                                                                                                                   Level A          Level A                                  Level A             Level A            Level B

                                                                                                                                   190 dB            180 dB            160 dB                190 dB              180 dB             125 dB

                                                  Piles 3, 4 ................................................................   <0.01 km2 ...     <0.01 km2 ...      2.24   km2 ......    0 km2 ...........   0 km2 ...........   15.54   km2.
                                                  Pile 1                                                                                                             2.71   km2                                                   19.54   km2.
                                                  Pile 2                                                                                                             2.76   km2                                                   20.08   km2.
                                                  Piles 5, 6                                                                                                         2.79   km2                                                   20.90   km2.
                                                  Pile 7                                                                                                             2.80   km2                                                   20.95   km2.
                                                  Piles 8, 9, 10                                                                                                     3.03   km2                                                   22.14   km2.
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                                                     * Based on the distances to sound isopleths for a 48-inch-diameter pile, assuming a 125-dB background noise level.


                                                    The beluga whale exposure estimate                                     different for each location. The                              test pile locations. The maximum
                                                  was calculated for each of the six                                       predicted beluga whale density raster                         predicted beluga whale density within
                                                  indicator test pile locations separately,                                (Goetz et al. 2012) was overlaid with the                     each area of isopleth was then used to
                                                  because the area of each isopleth was                                    isopleth areas for each of the indicator                      calculate the beluga whale exposure



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                                                  15060                                      Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                  estimate for each of the indicator test                                  take estimates to reflect standard                    given that there are a total of 18.5 days
                                                  pile locations. The maximum density                                      rounding practices (as typically used by              of impact pile driving possible, we
                                                  values ranged from 0.031 to 0.063                                        NMFS in estimating potential marine                   believe that a conservative estimate of 2
                                                  beluga whale/km2 (Table 5).                                              mammal exposures to sound) to arrive                  beluga takes during the days of impact
                                                    In the Federal Register Notice of                                      at a number of whole animals likely to                driving is reasonable.
                                                  proposed authorization, NMFS                                             be exposed per day.
                                                  calculated an incorrect number of                                           In the revised take estimate, the area               Using standard rounding procedures,
                                                  driving days at 43.5, which assumed                                      values were multiplied by the maximum                 we estimate that there would be one
                                                  that impact driving would occur on 12.5                                  predicted densities for both impact and               beluga whale exposed per day of
                                                  days and vibratory could occur on 31                                     vibratory driving as was done in the                  vibratory driving (see Table 4). When
                                                  days. Impact and vibratory driving,                                      Federal Register Notice of proposed                   considering the projected number of
                                                  however, will occur on a total of only                                   authorization. The impact driving takes               days of vibratory pile driving including
                                                  31 days. NMFS summed fractions of                                        per day values were all well below one                a 25 percent contingency for work
                                                  takes across days equaling a total of                                    (see Table 5). Employing standard                     delays (i.e., 12.5 total days of vibratory
                                                  19.245 takes which was rounded up to                                     rounding practices for this final IHA                 driving), we estimate 13 takes from
                                                  20. NMFS also rounded the large group                                    would result in zero takes from impact                vibratory driving. The takes from impact
                                                  factor of 11.1 up to 12 resulting in a                                   driving. However, we recognize that                   driving per pile were added to the takes
                                                  preliminary take estimate of 32 beluga                                   there is some non-zero probability of                 per pile from vibratory driving resulting
                                                  whales. However, based on discussion                                     exposure of beluga whales due                         in an estimated 15 beluga whale takes.
                                                  with the Commission, NMFS revised the                                    specifically to impact pile driving and,              Results are shown in Table 5.

                                                                                                             TABLE 5—ESTIMATED COOK INLET BELUGA WHALE TAKES
                                                                                                                                             Impact           Takes per                               Vibratory      Takes per
                                                                                                                       Impact pile                                             Vibratory pile
                                                                                                                                          driving max         day impact                             driving max    day vibratory
                                                                         Pile number                                   driving area                                            driving area
                                                                                                                                             density           driving/                                 density       driving/
                                                                                                                           (km2)                                                   (km2)
                                                                                                                                         (whales/km2)       rounded takes                           (whales/km2)   rounded takes

                                                  Pile   3 ........................................................              2.24              0.031              0.07/0              15.54            0.056           0.87/1
                                                  Pile   4 ........................................................              2.24              0.031              0.07/0              15.54            0.056           0.87/1
                                                  Pile   1 ........................................................              2.71              0.042              0.11/0              19.54            0.063           1.23/1
                                                  Pile   2 ........................................................              2.76              0.038              0.10/0              20.08            0.062           1.24/1
                                                  Pile   5 ........................................................              2.79              0.062              0.17/0               20.9            0.062           1.30/1
                                                  Pile   6 ........................................................              2.79              0.062              0.17/0               20.9            0.062           1.30/1
                                                  Pile   7 ........................................................               2.8              0.062              0.17/0              20.95            0.062           1.30/1
                                                  Pile   8 ........................................................              3.03              0.042              0.13/0              22.14            0.063           1.39/1
                                                  Pile   9 ........................................................              3.03              0.042              0.13/0              22.14            0.063           1.39/1
                                                  Pile   10 ......................................................               3.03              0.042              0.13/0              22.14            0.063           1.39/1

                                                           Total Rounded Takes (assume 18.5 days of impact pile driving)                                                   0   Total Rounded Takes (assume                   12.5
                                                                                                                                                                                 12.5 days of vibratory pile
                                                                                                                                                                                 driving)

                                                                                                    Total Takes                                                           2*        Total Rounded Takes                       13

                                                                                                                 Total Takes From Impact And Vibratory Driving                                                                15
                                                    * Note that takes per day from impact driving rounded down to zero. NFMS acknowledges the risk of take is greater than zero and as a contin-
                                                  gency estimated two total takes from impact pile driving.


                                                     The beluga density estimate used for                                  whales into a Level B harassment zone                 data do indicate, however, that large
                                                  estimating potential beluga exposures                                    would take place, at most, one time                   groups of belugas were regularly seen in
                                                  does not reflect the reality that beluga                                 during the project. To determine the                  the area over the past 7 years, and that
                                                  whales can travel in large groups. As a                                  most appropriate size of a large group,               group sizes ranged as high as 100
                                                  contingency that a large group of beluga                                 two sets of data were examined: (1)                   whales. Of the 131 sightings
                                                  whales could potentially occur in the                                    Beluga whale sightings collected                      documented in the POA opportunistic
                                                  project area, NMFS buffered the                                          opportunistically by POA employees                    data set, 48 groups were of 15 or more
                                                  exposure estimate detailed in the                                        since 2008 and (2) Alaska Pacific                     beluga whales.
                                                  preceding by adding the estimated size                                   University (APU) scientific monitoring                  The 95th percentile of group size for
                                                  of a notional large group of beluga                                      that occurred from 2007 through 2011.                 the APU scientific monitoring data is
                                                  whales. Incorporation of large groups                                      The APU scientific monitoring data                  11.1 beluga whales, rounded down to 11
                                                  into the beluga whale exposure estimate                                  set documents 390 beluga whale                        beluga whales. In the Federal Register
                                                  is intended to reflect the possibility that                              sightings. Group size exhibits a mode of              Notice of proposed authorization, the
                                                  whales could be exposed to behavioral
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                                                                                                                           1 and a median of 2, indicating that over             value was erroneously rounded up to
                                                  harassment based on what is known                                        half of the beluga groups observed over               12. This means that, of the 390
                                                  about belugas’ tendency to travel                                        the 5-year span of the monitoring                     documented beluga whale groups in this
                                                  together in pods. A single large group                                   program were of individual beluga                     data set, 95 percent consisted of fewer
                                                  has been added to the estimate of                                        whales or groups of 2. As expected, the               than 11.1 whales; 5 percent of the
                                                  exposure for beluga whales based on the                                  opportunistic sighting data from the                  groups consisted of more than 11.1
                                                  density method, in the anticipation that                                 POA do not reflect this preponderance                 whales. Therefore, it is improbable that
                                                  the entry of a large group of beluga                                     of small groups. The POA opportunistic                a group of more than 11 beluga whales


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                                                                                Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                             15061

                                                  would occur during the Test Pile                        or structure of any species or stock that             relatively small area of the habitat that
                                                  Program. This number balances reduced                   would lead to a different analysis for                may be affected, the impacts to marine
                                                  risk to the POA with protection of                      this activity; otherwise species-specific             mammal habitat are not expected to
                                                  beluga whales. POA opportunistic                        factors would be identified and                       cause significant or long-term negative
                                                  observations indicate that many groups                  analyzed.                                             consequences.
                                                  of greater than 11 beluga whales                           Pile driving activities associated with               Beluga whales have been observed
                                                  commonly transit through the project                    the Test Pile Program, as outlined                    transiting past the POA project by both
                                                  area. APU scientific monitoring data                    previously, have the potential to disturb             scientific and opportunistic surveys.
                                                  indicate that 5 percent of their                        or displace marine mammals.                           During the spring and summer when the
                                                  documented groups consisted of greater                  Specifically, the specified activities may            Test Pile Program is scheduled, belugas
                                                  than 11 beluga whales.                                  result in take, in the form of Level B                are generally concentrated near warmer
                                                     The total number of estimated and                    harassment (behavioral disturbance)                   river mouths where prey availability is
                                                  authorized takes of Cook Inlet beluga                   only, from underwater sounds generated                high and predator occurrence is low
                                                  whales is, therefore, 15 (13 vibratory/2                from pile driving. Harassment takes                   (Moore et al. 2000). Data on beluga
                                                  impact driving) using the density                       could occur if individuals of these                   whale sighting rates, grouping, behavior,
                                                  method plus 11 based on the large group                 species are present in the ensonified                 and movement indicate that the POA is
                                                  adjustment, resulting in 26 total                       zone when pile driving is happening.                  a relatively low-use area, occasionally
                                                  incidents of take. No Level A                              No injury, serious injury, or mortality            visited by lone whales or small groups
                                                  harassment is expected or authorized.                   is anticipated given the nature of the                of whales. They are observed most often
                                                     Note that this take estimate and                     activity and measures designed to                     at low tide in the fall, peaking in late
                                                  authorization is based on the maximum                   minimize the possibility of injury to                 August to early September. Groups with
                                                  predicted zone of influence (i.e., 1,359                marine mammals. The potential for                     calves have been observed to enter the
                                                  m and 3,981 m for impact and vibratory                  these outcomes is minimized through                   POA area, but data do not suggest that
                                                  driving, respectively). This is a                       the implementation of the following                   the area is an important nursery area.
                                                  precautionary approach accounting for                   planned mitigation measures. POA will                 Although POA scientific monitoring
                                                  the possibility that the sound                          employ a ‘‘soft start’’ when initiating               studies indicate that the area is not used
                                                  attenuation systems used may not                        driving activities. Given sufficient                  frequently by many beluga whales, it is
                                                  always achieve effective attenuation of                 ‘‘notice’’ through use of soft start,                 apparently used for foraging habitat by
                                                  at least 10 dB.                                         marine mammals are expected to move                   whales traveling between lower and
                                                                                                          away from a pile driving source. The                  upper Knik Arm, as individuals and
                                                  Analyses and Determinations                             likelihood of marine mammal detection                 groups of beluga whales have been
                                                  Negligible Impact Analysis                              ability by trained observers is high                  observed passing through the area each
                                                                                                          under the environmental conditions                    year during monitoring efforts. Data
                                                     Negligible impact is ‘‘an impact                     described for waters within a 1,000                   collected annually during monitoring
                                                  resulting from the specified activity that              meter distance of the project area. This              efforts demonstrated that few beluga
                                                  cannot be reasonably expected to, and is                enables reasonable certainty of the                   whales were observed in July and early
                                                  not reasonably likely to, adversely affect              implementation of required shut-downs                 August; numbers of sightings increased
                                                  the species or stock through effects on                 to avoid potential injury of marine                   in mid-August, with the highest
                                                  annual rates of recruitment or survival’’               mammals other than beluga whales and                  numbers observed late August to mid-
                                                  (50 CFR 216.103). A negligible impact                   to minimize potential harassment of                   September. In all years, beluga whales
                                                  finding is based on the lack of likely                  beluga whales for the majority of driven              have been observed to enter the project
                                                  adverse effects on annual rates of                      piles. POA’s proposed activities are                  footprint while construction activities
                                                  recruitment or survival (i.e., population-              localized and of relatively short                     were taking place, including pile
                                                  level effects). An estimate of the number               duration. The total amount of time spent              driving and dredging. The most
                                                  of Level B harassment takes, alone, is                  pile driving, including a 25%                         commonly observed behaviors were
                                                  not enough information on which to                      contingency, will be 27 hours over                    traveling, diving, and suspected feeding.
                                                  base an impact determination. In                        approximately 31 days.                                No apparent behavioral changes or
                                                  addition to considering estimates of the                   These localized and short-term noise               reactions to in-water construction
                                                  number of marine mammals that might                     exposures may cause brief startle                     activities were observed by either the
                                                  be ‘‘taken’’ through behavioral                         reactions or short-term behavioral                    construction or scientific observers
                                                  harassment, NMFS must consider other                    modification by the animals. These                    (Cornick et al. 2011).
                                                  factors, such as the likely nature of any               reactions and behavioral changes are                     Critical habitat for Beluga whales has
                                                  responses (their intensity, duration,                   expected to subside quickly when the                  been identified in the area. However,
                                                  etc.), the context of any responses                     exposures cease.                                      habitat in the immediate vicinity of the
                                                  (critical reproductive time or location,                   The project is not expected to have                project has been excluded from critical
                                                  migration, etc.), as well as the number                 significant adverse effects on affected               habitat designation. Furthermore the
                                                  and nature of estimated Level A                         marine mammals’ habitat, as analyzed                  project activities would not modify
                                                  harassment takes, the number of                         in detail in the ‘‘Anticipated Effects on             existing marine mammal habitat. NMFS
                                                  estimated mortalities, effects on habitat,              Marine Mammal Habitat’’ section. No                   concludes that both the short-term
                                                  and the status of the species.                          important feeding and/or reproductive                 adverse effects and the long-term effects
                                                     To avoid repetition, the discussion of               areas for marine mammals other than                   on beluga whale prey quantity and
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                                                  our analyses applies to all the species                 beluga whales are known to be near the                quality will be insignificant. The sound
                                                  listed in Table 6, given that the                       proposed project area. Project-related                from pile driving may interfere with
                                                  anticipated effects of this pile driving                activities may cause some fish to leave               whale passage between lower and upper
                                                  project on marine mammals are                           the area of disturbance, thus temporarily             Knik Arm. However, POA is an
                                                  expected to be relatively similar in                    impacting marine mammals’ foraging                    industrialized area with significant
                                                  nature. Except for beluga whales, where                 opportunities in a limited portion of the             noise from vessel traffic and beluga
                                                  we provide additional discussion, there                 foraging range; but, because of the short             whales pass through the area
                                                  is no information about the size, status,               duration of the activities and the                    unimpeded.


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                                                  15062                                   Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices

                                                     Effects on individuals that are taken                                 whole. Impacts will be reduced to the                           considered discountable; (2) the
                                                  by Level B harassment, on the basis of                                   least practicable level through use of                          anticipated incidents of Level B
                                                  reports in the literature as well as                                     mitigation measures described herein.                           harassment consist of, at worst,
                                                  monitoring from other similar activities,                                Finally, if sound produced by project                           temporary modifications in behavior; (3)
                                                  will likely be limited to reactions such                                 activities is sufficiently disturbing,                          the absence of any significant habitat
                                                  as increased swimming speeds,                                            animals are likely to simply avoid the                          within the project area, including
                                                  increased surfacing time, or decreased                                   project area while the activity is                              rookeries, significant haul-outs, or
                                                  foraging (if such activity were occurring)                               occurring.                                                      known areas or features of special
                                                  (e.g., Thorson and Reyff, 2006; Lerma,                                     In summary, this negligible impact                            significance for foraging or
                                                  2014). Most likely, individuals will                                     analysis is founded on the following                            reproduction; (4) the anticipated
                                                  simply move away from the sound                                          factors for beluga whales: (1) The                              efficacy of the proposed mitigation
                                                  source and be temporarily displaced                                      seasonal distribution and habitat use                           measures in reducing the effects of the
                                                  from the areas of pile driving, although                                 patterns of Cook Inlet beluga whales,                           specified activity. In combination, we
                                                  even this reaction has been observed                                     which suggest that for much of the time                         believe that these factors, as well as the
                                                  primarily only in association with                                       only a small portion of the population                          available body of evidence from other
                                                  impact pile driving. The pile removal                                    would be in the vicinity of the Test Pile                       similar activities, demonstrate that the
                                                  activities analyzed here are similar to, or                              Program; (2) the lack of behavioral                             potential effects of the specified activity
                                                  less impactful than, numerous                                            changes observed with previous                                  will have only short-term effects on
                                                  construction activities conducted in                                     construction activities; (3) the nominal
                                                                                                                                                                                           individuals. The specified activity is not
                                                  other similar locations, which have                                      impact on critical habitat; (4) the
                                                                                                                                                                                           expected to impact annual rates of
                                                  taken place with no reported injuries or                                 mitigation requirements, including shut-
                                                                                                                                                                                           recruitment or survival and will
                                                  mortality to marine mammals, and no                                      downs for one or more belugas; (4) the
                                                                                                                                                                                           therefore have a negligible impact on
                                                  known long-term adverse consequences                                     monitoring requirements described
                                                                                                                                                                                           those species.
                                                  from behavioral harassment. Repeated                                     earlier in this document for all marine
                                                  exposures of individuals to levels of                                    mammal species that will further reduce                            Therefore, based on the analysis
                                                  sound that may cause Level B                                             the amount and intensity of takes; and                          contained herein of the likely effects of
                                                  harassment here are unlikely to result in                                (5) monitoring results from previous                            the specified activity on marine
                                                  hearing impairment or to significantly                                   activities that indicated low numbers of                        mammals and their habitat, and taking
                                                  disrupt foraging behavior. Thus, even                                    beluga whale sightings within the Level                         into consideration the implementation
                                                  repeated Level B harassment of some                                      B disturbance exclusion zone.                                   of the proposed monitoring and
                                                  small subset of the species is unlikely to                                 For marine mammals other than                                 mitigation measures, NMFS finds that
                                                  result in any significant realized                                       beluga whales the negligible impact                             the total marine mammal take from
                                                  decrease in fitness for the affected                                     analysis is based on the following: (1)                         POA’s Test Pile Program will have a
                                                  individuals, and thus would not result                                   The possibility of injury, serious injury,                      negligible impact on the affected marine
                                                  in any adverse impact to the stock as a                                  or mortality may reasonably be                                  mammal species or stocks.

                                                         TABLE 6—AUTHORIZED LEVEL B HARASSMENT TAKE LEVELS, DPS OR STOCK ABUNDANCE, AND PERCENTAGE OF
                                                                                       POPULATION PROPOSED TO BE TAKEN
                                                                                                                             Proposed                           Abundance                                           Percentage of
                                                                           DPS or stock                                     Level B take                      (DPS or stock)                                         population
                                                                                                                            harassment

                                                  Cook Inlet beluga whale ....................................                         26    312 a ...................................................   8.33
                                                  Killer whale .........................................................                8    2,347 Resident b 587 Transient .........                    0.34 Resident c 1.36 Transient.
                                                  Harbor porpoise .................................................                    31    31,046 d ..............................................     0.10.
                                                  Harbor seal .........................................................                62    27,836 e ..............................................     0.22.
                                                  Western DPS, Steller sea lion ...........................                             6    49,497 f ...............................................    <0.01.
                                                     a Abundance  estimate for the Cook Inlet stock and DPS (Allen and Angliss, 2015; Shelden et al., 2015).
                                                     b Abundance  estimate for the Eastern North Pacific Alaska Resident stock; the estimate for the transient population is for the Gulf of Alaska,
                                                  Aleutian Islands, and Bering Sea stock.
                                                    c Assumes all individuals would be from the resident stock or the transient stock.
                                                    d Abundance estimate for the Gulf of Alaska stock.
                                                    e Abundance estimate for the Cook Inlet/Shelikof stock.
                                                    f Abundance estimate for the Western U.S. Stock and western DPS.
                                                    Sources for population estimates other than Cook Inlet beluga whales: Allen and Angliss 2013, 2014, 2015.


                                                  Small Numbers Analysis                                                   the affected species and population                             populations of the affected species or
                                                                                                                           stocks under consideration.                                     stocks.
                                                    Table 6 indicates the numbers of                                       Furthermore, it is possible that some
                                                  animals that could be exposed to                                                                                                         Impact on Availability of Affected
                                                                                                                           beluga whale takes may represent a                              Species for Taking for Subsistence Uses
                                                  received noise levels that could cause                                   single individual that is counted
                                                  Level B behavioral harassment from
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                                                                                                                           repeatedly.                                                        NMFS has defined ‘‘unmitigable
                                                  work associated with the proposed Test                                                                                                   adverse impact’’ in 50 CFR 216.103 as:
                                                  Pile Program. The analyses provided                                         Based on the methods used to                                 ‘‘an impact resulting from the specified
                                                  represents between <0.01% to 8.33% of                                    estimate take, and taking into                                  activity: (1) That is likely to reduce the
                                                  the populations of these stocks that                                     consideration the implementation of the                         availability of the species to a level
                                                  could be affected by Level B behavioral                                  mitigation and monitoring measures, we                          insufficient for a harvest to meet
                                                  harassment. These are small numbers of                                   find that small numbers of marine                               subsistence needs by: (i) Causing the
                                                  marine mammals relative to the sizes of                                  mammals will be taken relative to the                           marine mammals to abandon or avoid


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                                                                                Federal Register / Vol. 81, No. 54 / Monday, March 21, 2016 / Notices                                             15063

                                                  hunting areas; (ii) Directly displacing                 101(a)(5)(D) of the MMPA for this                     ADDRESSES:   The meeting will be held at
                                                  subsistence users; or (iii) Placing                     activity. A Biological Opinion was                    the Doubletree by Hilton hotel, 6505 N.
                                                  physical barriers between the marine                    issued on March 2, 2016 and is posted                 Interstate Highway 35 North, Austin, TX
                                                  mammals and the subsistence hunters;                    at http://www.nmfs.noaa.gov/pr/                       78752; telephone: (512) 454–3737.
                                                  and (2) That cannot be sufficiently                     permits/incidental/construction.htm.                    Council address: Gulf of Mexico
                                                  mitigated by other measures to increase                 NMFS determined that while the                        Fishery Management Council, 2203 N.
                                                  the availability of marine mammals to                   proposed action may affect Cook Inlet                 Lois Avenue, Suite 1100, Tampa, FL
                                                  allow subsistence needs to be met.                      beluga whales and wDPS Steller sea                    33607; telephone: (813) 348–1630.
                                                     The proposed Test Pile Program will                  lions, it is not likely to jeopardize the             FOR FURTHER INFORMATION CONTACT:
                                                  occur in or near a traditional                          continued existence of those species or               Douglas Gregory, Executive Director,
                                                  subsistence hunting area and could                      adversely modify any designated critical              Gulf of Mexico Fishery Management
                                                  affect the availability of marine                       habitat.                                              Council; telephone: (813) 348–1630.
                                                  mammals for subsistence uses. Harbor                                                                          SUPPLEMENTARY INFORMATION:
                                                  seals are the only species for which take               National Environmental Policy Act
                                                  is authorized that may be subject to                    (NEPA)                                                Agenda
                                                  limited boat-based subsistence hunting.                   NMFS drafted a document titled                      Monday, April 4, 2016; 8:30 a.m.–5 p.m.
                                                     POA communicated with                                Environmental Assessment for Issuance
                                                  representative Native subsistence users                                                                          The Gulf Council will begin with
                                                                                                          of an Incidental Harassment
                                                  and Tribal members to develop a Plan                                                                          updates and presentations from
                                                                                                          Authorization to the Port of Alaska for
                                                  of Cooperation, which identifies what                                                                         management committees. The Joint
                                                                                                          the Take of Marine Mammals Incidental
                                                  measures have been taken or will be                                                                           Administrative Policy & Budget
                                                                                                          to a Test Pile Program and Finding of
                                                  taken to minimize any adverse effects of                                                                      Management Committee will review the
                                                                                                          No Significant Impact (FONSI). The
                                                  the Test Pile Program on the availability                                                                     2014 No-cost extension, 2015 & 2016
                                                                                                          FONSI was signed on March 2, 2016.
                                                  of marine mammals for subsistence                                                                             Budgets, and 2016 Proposed Activities.
                                                                                                          The EA/FONSI is posted at http://
                                                  uses. On December 22, 2015, POA sent                                                                          The Data Collection Committee will
                                                                                                          www.nmfs.noaa.gov/pr/permits/
                                                  letters to eight tribes including the the                                                                     review the Electronic Reporting Program
                                                                                                          incidental/construction.htm.
                                                  Kenaitze, Tyonek, Knik, Eklutna,                                                                              Flowchart; give an update on the
                                                  Ninilchik, Seldovia, Salamatoff, and                    Authorization                                         Commercial Electronic Reporting Pilot
                                                  Chickaloon tribes informing them of the                   As a result of these determinations,                Program; and discuss Final Action—
                                                  project and identifying potential                       we have issued an IHA to POA for                      South Atlantic’s Amendment:
                                                  impacts to marine mammals as well as                    conducting the Test Pile Program in                   Modifications to Charter Vessel and
                                                  planned mitigation efforts. POA also                    Anchorage, AK from April 1, 2016                      Headboat Reporting Requirements. The
                                                  inquired about any possible marine                      through March 31, 2017 through                        Shrimp Management Committee will
                                                  mammal subsistence concerns they                        provided the previously described                     discuss the Biological Review of the
                                                  might have. None of the tribes indicated                mitigation, monitoring, and reporting                 Texas Closure; review the Updated
                                                  that they had any concerns with the                     requirements are incorporated.                        Stock Assessments for Brown, White
                                                  proposed Test Pile Program.                                                                                   and Pink shrimp; receive a summary
                                                     Since all project activities will take                 Dated: March 9, 2016.                               from the Shrimp Advisory Panel (AP)
                                                  place within the immediate vicinity of                  Perry Gayaldo,                                        meeting; review of Options Paper for
                                                  the POA, the project will not have an                   Deputy Director, Office of Protected                  Shrimp Amendment 17B; and receive a
                                                  adverse impact on the availability of                   Resources, National Marine Fisheries Service.         summary from the Shrimp Scientific
                                                  marine mammals for subsistence use at                   [FR Doc. 2016–06251 Filed 3–18–16; 8:45 am]           and Statistical Committee (SSC)
                                                  distant locations. Due to mitigation and                BILLING CODE 3510–22–P                                meeting. After lunch, the Mackerel
                                                  monitoring requirements, no                                                                                   Management Committee will discuss
                                                  displacement of marine mammals from                                                                           Final Action on Coastal Migratory
                                                  traditional hunting areas or changes to                 DEPARTMENT OF COMMERCE                                Pelagics (CMP) Amendment 26: Changes
                                                  availability of subsistence resources will                                                                    in Allocations, Stock Boundaries and
                                                  result from Test Pile Program activities.               National Oceanic and Atmospheric                      Sale Provisions for Gulf of Mexico and
                                                  Given the combination of the Test Pile                  Administration                                        Atlantic Migratory Groups of King
                                                  Program location, small size of the                     RIN 0648–XE511                                        Mackerel; receive summary of Public
                                                  affected area, and required mitigation                                                                        Hearing Comments and Written Public
                                                  and monitoring measures NMFS has                        Gulf of Mexico Fishery Management                     Comments; and a summary from the
                                                  determined that there will not be an                    Council; Public Meeting                               Law Enforcement Advisory Panel. The
                                                  unmitigable adverse impact on                                                                                 Law Enforcement Committee will
                                                  subsistence uses from POA’s proposed                    AGENCY:  National Marine Fisheries                    receive a summary from the Law
                                                  activities.                                             Service (NMFS), National Oceanic and                  Enforcement Technical Committee; and
                                                                                                          Atmospheric Administration (NOAA),                    select the recipient for Officer of the
                                                  Endangered Species Act (ESA)                            Commerce.                                             Year award.
                                                     The Cook Inlet beluga whale and                      ACTION: Notice of a public meeting.
                                                  western depleted population segment of                                                                        Tuesday, April 5, 2016; 8:30 a.m.–5 p.m.
                                                  Steller sea lion are mammal species                     SUMMARY:   The Gulf of Mexico Fishery                   The Reef Fish Management
                                                                                                          Management Council (Council) will
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                                                  listed as endangered under the ESA                                                                            Committee will receive an update on
                                                  with confirmed or possible occurrence                   hold a four-day meeting to consider                   2015 Recreational Red Snapper
                                                  in the study area. NMFS’ Permits and                    actions affecting the Gulf of Mexico                  Landings and Recreational Season
                                                  Conservation Division has completed a                   fisheries in the exclusive economic zone              Projections for 2016; take final action on
                                                  formal consultation with NMFS’                          (EEZ).                                                Framework Action to Modify Red
                                                  Protected Resources Division under                      DATES: The meeting will take place on                 Grouper Annual Catch Limits; review
                                                  section 7 of the ESA on the issuance of                 Monday, April 4 through Thursday,                     Options Paper for Amendment 46—
                                                  an IHA to POA under section                             April 7, 2016, starting at 8:30 a.m. daily.           Modify Gray Triggerfish Rebuilding


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Document Created: 2016-03-19 01:00:40
Document Modified: 2016-03-19 01:00:40
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice; issuance of an incidental harassment authorization.
DatesThis authorization is effective from April 1, 2016, through March 31, 2017.
ContactRobert Pauline, Office of Protected Resources, NMFS, (301) 427-8401.
FR Citation81 FR 15048 
RIN Number0648-XE25

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