81_FR_40556 81 FR 40437 - Commercial Fishing Vessels-Implementation of 2010 and 2012 Legislation

81 FR 40437 - Commercial Fishing Vessels-Implementation of 2010 and 2012 Legislation

DEPARTMENT OF HOMELAND SECURITY
Coast Guard

Federal Register Volume 81, Issue 119 (June 21, 2016)

Page Range40437-40468
FR Document2016-14399

The Coast Guard proposes to align its commercial fishing industry vessel regulations with the mandatory provisions of 2010 and 2012 legislation passed by Congress that took effect upon enactment. The alignments would change the applicability of current regulations, and add new requirements for safety equipment, vessel examinations, vessel safety standards, the documentation of maintenance, and the termination of unsafe operations. This rule only proposes to implement these legislative mandates, would exercise no Coast Guard regulatory discretion, and would promote the Coast Guard's maritime safety mission. It does not reflect any provision of the Coast Guard Authorization Act of 2015, but the preamble to this document discusses its likely impact where appropriate. That Act will be the subject of future Coast Guard regulatory action.

Federal Register, Volume 81 Issue 119 (Tuesday, June 21, 2016)
[Federal Register Volume 81, Number 119 (Tuesday, June 21, 2016)]
[Proposed Rules]
[Pages 40437-40468]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-14399]



[[Page 40437]]

Vol. 81

Tuesday,

No. 119

June 21, 2016

Part III





Department of Homeland Security





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 Coast Guard





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46 CFR Part 28





Commercial Fishing Vessels--Implementation of 2010 and 2012 
Legislation; Proposed Rule

Federal Register / Vol. 81 , No. 119 / Tuesday, June 21, 2016 / 
Proposed Rules

[[Page 40438]]


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DEPARTMENT OF HOMELAND SECURITY

Coast Guard

46 CFR Part 28

[Docket No. USCG-2012-0025]
RIN 1625-AB85


Commercial Fishing Vessels--Implementation of 2010 and 2012 
Legislation

AGENCY: Coast Guard, DHS.

ACTION: Notice of proposed rulemaking.

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SUMMARY: The Coast Guard proposes to align its commercial fishing 
industry vessel regulations with the mandatory provisions of 2010 and 
2012 legislation passed by Congress that took effect upon enactment. 
The alignments would change the applicability of current regulations, 
and add new requirements for safety equipment, vessel examinations, 
vessel safety standards, the documentation of maintenance, and the 
termination of unsafe operations. This rule only proposes to implement 
these legislative mandates, would exercise no Coast Guard regulatory 
discretion, and would promote the Coast Guard's maritime safety 
mission. It does not reflect any provision of the Coast Guard 
Authorization Act of 2015, but the preamble to this document discusses 
its likely impact where appropriate. That Act will be the subject of 
future Coast Guard regulatory action.

DATES: Comments and related material must be submitted to the online 
docket via http://www.regulations.gov, or reach the Docket Management 
Facility, on or before September 19, 2016. Comments sent to the Office 
of Management and Budget (OMB) on the proposed collection of 
information must reach OMB on or before September 19, 2016.

ADDRESSES: You may submit comments identified by docket number USCG-
2012-0025 using the Federal eRulemaking Portal at http://www.regulations.gov. See the ``Public Participation and Request for 
Comments'' portion of the SUPPLEMENTARY INFORMATION section for further 
instructions on submitting comments.
    Collection of information. You must submit comments on the 
collection of information discussed in section VII.D of this preamble 
both to the Coast Guard's docket and to the Office of Information and 
Regulatory Affairs (OIRA) in the White House Office of Management and 
Budget. OIRA submissions can use one of the listed methods.
     Email (preferred)[email protected] (include 
the docket number and ``Attention: Desk Officer for Coast Guard, DHS'' 
in the subject line of the email).
     Fax--202-395-6566.
     Mail--Office of Information and Regulatory Affairs, Office 
of Management and Budget, 725 17th Street NW., Washington, DC 20503, 
ATTN: Desk Officer, U.S. Coast Guard.
    Viewing material proposed for incorporation by reference. Make 
arrangements to view this material by calling the person identified in 
the FOR FURTHER INFORMATION CONTACT section of this document.

FOR FURTHER INFORMATION CONTACT: For information about this document 
call or email Jack Kemerer, Chief, Fishing Vessels Division (CG-CVC-3), 
Office of Commercial Vessel Compliance (CG-CVC), Coast Guard; telephone 
202-372-1249, email [email protected].

SUPPLEMENTARY INFORMATION: 

Table of Contents for Preamble

I. Public Participation and Comments
    A. Submitting Comments
    B. Viewing Comments and Documents
    C. Privacy Act
    D. Public Meeting
II. Abbreviations
III. Executive Summary
IV. Background Basis, and Purpose
V. Discussion of Comments on 2008 ANPRM
VI. Discussion of CGAA and CGMTA Mandates and the Proposed Rule
VII. Regulatory Analyses
    A. Regulatory Planning and Review
    B. Small Entities
    C. Assistance for Small Entities
    D. Collection of Information
    E. Federalism
    F. Unfunded Mandates Reform Act
    G. Taking of Private Property
    H. Civil Justice Reform
    I. Protection of Children
    J. Indian Tribal Governments
    K. Energy Effects
    L. Technical Standards
    M. Environment

I. Public Participation and Comments

    We view public participation as essential to effective rulemaking, 
and will consider all comments and material received during the comment 
period. Your comment can help shape the outcome of this rulemaking. If 
you submit a comment, please include the docket number for this 
rulemaking, indicate the specific section of this document to which 
each comment applies, and provide a reason for each suggestion or 
recommendation.
    We encourage you to submit comments through the Federal eRulemaking 
Portal at http://www.regulations.gov. If your material cannot be 
submitted using http://www.regulations.gov, contact the person in the 
FOR FURTHER INFORMATION CONTACT section of this document for alternate 
instructions. Documents mentioned in this notice, and all public 
comments, are in our online docket at http://www.regulations.gov and 
can be viewed by following that Web site's instructions. Additionally, 
if you go to the online docket and sign up for email alerts, you will 
be notified when comments are posted or a final rule is published.
    We accept anonymous comments. All comments received will be posted 
without change to http://www.regulations.gov and will include any 
personal information you have provided. For more about privacy and the 
docket, you may review a Privacy Act notice regarding the Federal 
Docket Management System in the March 24, 2005, issue of the Federal 
Register (70 FR 15086).
    We are not planning to hold a public meeting but will consider 
doing so if public comments indicate a meeting would be helpful. We 
would issue a separate Federal Register notice to announce the date, 
time, and location of such a meeting.

II. Abbreviations

APA Administrative Procedure Act
CFV Commercial Fishing Industry Vessels
CGAA Coast Guard Authorization Act of 2010
CGMTA Coast Guard and Maritime Transportation Act of 2012
DHS Department of Homeland Security
EPIRBs Emergency Position Indicating Radio Beacons
FR Federal Register
GPS Global Positioning System
MISLE Marine Information for Safety and Law Enforcement
NMFS National Marine Fisheries Service
NOAA National Oceanic and Atmospheric Association
OCMI Officer in Charge, Marine Inspection
PFD Personal Flotation Device
Pub. L. Public Law
U.S.C. United States Code

III. Executive Summary

    This rule proposes to implement statutory requirements enacted by 
the Coast Guard Authorization Act of 2010 (CGAA) \1\ and the Coast 
Guard and Maritime Transportation Act of 2012 (CGMTA).\2\ Both Acts 
contain provisions affecting those commercial fishing industry vessels 
(CFVs) that do not require Coast Guard inspection and certification. 
With respect to the CGAA, Congress intended the new requirements to 
help improve the safety

[[Page 40439]]

of an industry that experiences vessel losses and crew deaths.\3\
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    \1\ Pub. L. 111-281, 124 Stat. 2905, Title VI.
    \2\ Pub. L. 112-213, 126 Stat. 1540.
    \3\ See H.R. Rep. No. 111-303, pt. 1, at 93 (accompanying H.R. 
3619, the Coast Guard Authorization Act of 2010): ``The [marine 
safety title] of H.R. 3619 contains a variety of provisions intended 
to strengthen the Coast Guard's implementation of its marine safety 
functions. These provisions will ensure that the Coast Guard 
maintains a marine safety program that prevents casualties from 
occurring, minimizes the effect of the casualty, and maximizes lives 
saved, if a vessel must be abandoned. Commercial fishing is the most 
hazardous occupation in the United States according to the 
Department of Labor's Bureau of Labor Statistics . . .''.
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    This proposed rule is authorized by the CGAA and the CGMTA, and by 
rulemaking authority delegated to the Coast Guard by the Secretary of 
Homeland Security.\4\ The need for this rule exists because current 
Coast Guard CFV regulations are based on statutes that the CGAA and 
CGMTA changed significantly. If the regulations do not align with the 
CGAA and CGMTA, there is no way for commercial fishermen or the general 
public to clearly understand what they must do to comply with the CGAA 
and CGMTA requirements. Without these proposed changes, Coast Guard 
regulations would be inconsistent with the CGAA and CGMTA, leading to 
confusion and uncertainty, particularly with regard to the Coast 
Guard's enforcement authority.
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    \4\ Department of Homeland Security Delegation No. 0170.1, para. 
II, (92.b).
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    The CGAA and CGMTA mandated action with respect to the following 
topics:
     Vessel parity;
     Substitution of baseline for Boundary Line criteria;
     Survival craft;
     Records;
     Vessel examinations;
     Training;
     Construction standards for smaller vessels;
     Load lines;
     Classing of vessels;
     Termination of unsafe operations; and
     Miscellaneous.
    This rule only proposes to take regulatory action on those topics 
listed above where the statutory mandate took effect upon enactment of 
the CGAA in October 2010 and the CGMTA in December 2012, and can be 
incorporated in Coast Guard CFV regulations without the exercise of any 
Coast Guard discretion. Other CGAA and CGMTA provisions relating to 
CFVs with later effective dates and those that require exercise of 
Coast Guard discretion may be the subject of future Coast Guard 
rulemakings. The proposed rule does not reflect any provision of the 
Coast Guard Authorization Act of 2015. That Act will be the subject of 
future Coast Guard regulatory action.
    Vessel parity. Some statutory provisions with respect to special 
equipment requirements apply only to the subset of CFVs that operate 
beyond U.S. Boundary Lines (which, as subsequently discussed, the CGAA 
changed to beyond 3 nautical miles from the U.S. territorial sea 
baseline), or with more than 16 persons onboard, or that are Aleutian 
Trade fish tender vessels. These CFVs are subject to special Coast 
Guard regulatory requirements set forth in 46 CFR part 28, subpart C, 
and are referred to throughout this preamble as ``subpart C CFVs''. 
Until enactment of the CGAA, only Federally documented CFVs were 
required to comply with the special equipment requirements; \5\ the 
(typically) smaller CFVs that require only State registration were 
excluded. The CGAA required uniform safety standards and equipment 
requirements for all CFVs (whether documented or undocumented) that 
operate beyond 3 nautical miles of the baseline of the territorial sea 
or the coastline of the Great Lakes. This rule proposes to implement 
the CGAA by revising subpart C to reflect that change in applicability.
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    \5\ See 46 CFR 67.7 for what constitutes a documented vessel: 
``Any vessel of at least five net tons which engages in the 
fisheries on the navigable waters of the United States or in the 
Exclusive Economic Zone, or coastwise trade, unless exempt under 
Sec.  67.9(c), must have a Certificate of Documentation bearing a 
valid endorsement appropriate for the activity in which engaged.''
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    Some existing subpart C regulatory requirements are the result of 
prior Coast Guard discretionary determinations that the requirement is 
necessary for the safety of the documented CFVs to which subpart C 
formerly was restricted. The Coast Guard declines to extend those same 
requirements to undocumented CFVs because the proposed rule focuses 
exclusively on CGAA and CGMTA mandates, and the Coast Guard is not 
using any discretionary authority which would be required in order to 
make such a determination. The proposed rule would amend subpart C to 
clarify that, at least for now, the proposed changes would apply only 
to documented subpart C CFVs.
    Substitution of baseline for Boundary Line criteria. Special 
statutory provisions involving safety standards apply to the subset of 
CFVs that operate relatively far from shore, or with more than 16 
persons onboard, or that are Aleutian Trade fish tender vessels. 
Formerly, the relevant distance from shore was defined as ``beyond the 
Boundary Line.'' The location of the Boundary Line is set by Coast 
Guard regulation and varies by distance from the coastline around the 
country. The CGAA redefined the relevant distance as ``beyond 3 
nautical miles from the baseline from which the territorial sea of the 
United States is measured or beyond 3 nautical miles from the coastline 
of the Great Lakes,'' and this rule proposes to align regulatory 
language accordingly.
    Survival craft. Until the CGAA was enacted, certain CFVs were 
allowed by statute and regulation to use life floats or rigid buoyant 
apparatus as survival craft. The CGAA requires survival craft on all 
CFVs to fully protect the occupants from exposing any part of the body 
to immersion in water.\6\ This rule proposes to include that 
requirement in the CFV regulations and requests public comment on 
whether or not, and to what extent, if any, we should exercise the 
limited grandfathering authorized by the CGAA and the CGMTA for certain 
non-conforming survival craft.
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    \6\ The Coast Guard Authorization Act of 2015, Pub. L. 114-120, 
amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.
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    Records. This rule proposes to amend the CFV regulations so that 
they include the CGAA requirement that individuals in charge of certain 
CFVs keep records of equipment maintenance, and crew instruction and 
drills.
    Vessel examinations. Until the CGAA was enacted, the only CFVs 
required by the Coast Guard to undergo dockside safety examinations 
were fish processors, or fish tenders in the Aleutian trade. This rule 
proposes to incorporate the CGAA and CGMTA provisions that extend 
dockside examination requirements to any subpart C CFV. Dockside 
examinations must take place at least once every 5 years, with the 
first examinations to have been completed by October 15, 2015.
    Construction standards for smaller vessels. This rule proposes to 
amend CFV regulations to include the CGAA requirement for CFVs under 50 
feet in length and built in 2010 or later to comply with Coast Guard 
construction standards for recreational vessels.
    Load lines. Until the CGAA was enacted, CFVs were exempt from all 
statutory or regulatory load line requirements. This rule proposes to 
amend Coast Guard regulations to reflect the CGAA and CGMTA provisions 
that remove the load line

[[Page 40440]]

exemption for CFVs built after July 1, 2013.
    Classing of vessels. Until the CGAA was enacted, a fish processor 
had to meet all survey and classification requirements prescribed by 
the American Bureau of Shipping or another organization approved by the 
Coast Guard, if it was built or converted after July 27, 1990. The CGAA 
and the CGMTA extended this requirement to any subpart C CFV of 50 feet 
or more overall in length and built after July 1, 2013.\7\ This rule 
proposes to amend Coast Guard regulations to incorporate the 2010 and 
2012 vessel classing requirements.
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    \7\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Pub. L. 114-120, changed the applicability of classing requirements 
for CFVs. The 2010 and 2012 legislation extended the classing 
requirement to CFVs of 50 feet or more overall in length and built 
after July 1, 2013. The 2015 Act exempts from that requirement CFVs 
of at least 50 and not more than 79 feet overall in length, and 
built after Feb. 8, 2016, provided their construction is overseen by 
a State-licensed naval architect or marine engineer, and their 
design ``incorporates standards equivalent to those prescribed by a 
classification society . . . or another qualified organization. . . 
.'' This NPRM does not incorporate any of the 2015 provisions, which 
must be reflected in our regulations through future regulatory 
action.
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    Termination of unsafe operations. This rule proposes to amend Coast 
Guard regulations so they reflect the broader CGAA authority to 
terminate a CFV's operations if the Coast Guard observes it operating 
under unsafe conditions, or if the CFV lacks required documentation 
like a certificate of having passed a dockside examination.
    Miscellaneous equipment. This rule proposes to amend Coast Guard 
regulations for subpart C vessels to include CGAA requirements for 
marine radios, navigation equipment, medical supplies, and ground 
tackle.
    Regulatory costs and benefits. Based on Marine Information for 
Safety and Law Enforcement (MISLE) data, there are approximately 75,083 
existing commercial fishing vessels that would be potentially affected 
by this proposed rulemaking. This rule proposes new requirements for 
vessels that are expected to operate beyond three nautical miles from 
the baseline from which the territorial sea is measured and the 
coastline of the Great Lakes. Coast Guard subject matter experts 
estimate that 36,115 of those 75,083 existing commercial fishing 
vessels operate beyond the three nautical miles threshold, and are 
affected by this rulemaking. Of the 36,115 vessels that operate beyond 
the three nautical mile threshold, 17,237 are documented fishing 
vessels and 18,878 are undocumented fishing vessels.
    The 10-year discounted present value cost to industry of this 
proposed rule is an estimated $240.3 million based on a 7 percent 
discount rate and $285.7 million based on a 3 percent discount rate. 
The annualized cost to industry is estimated at $34.2 million at the 7 
percent and $33.5 million at the 3 percent discount rate. The cost of 
third-party classing of vessels makes up the majority of the total 
industry costs.
    We anticipate that the government will incur labor and travel costs 
to conduct dockside CFV safety exams. We estimate the total present 
value cost to government over the 10-year period of analysis to be 
$38.2 million discounted at 7 percent, and $46.4 million discounted at 
3 percent. Annualized government costs are about $5.4 million under 
both 7 percent and 3 percent discount rates.
    We estimate the combined total 10-year present value cost of the 
rulemaking to industry and government at $278.5 million, discounted at 
7 percent, and $332.1 million, discounted at 3 percent. The combined 
annualized costs to industry and government are $39.7 million at 7 
percent and $38.9 million at 3 percent. The expected annual effect on 
the economy of the proposed rule would not exceed $100 million in the 
first or any subsequent year of implementation.
    The proposed rule is intended to reduce the risk of future fishing 
vessel casualties, and if a casualty occurs, to minimize the adverse 
impacts to crew and enable them to have the maximum opportunity to 
survive and to be rescued. The primary benefits resulting from 
increased safety include reductions in the risk of fatalities, property 
loss, and environmental damage that can be caused by lost and damaged 
commercial fishing vessels. The estimate of annualized quantified 
benefits ranges between $7.1 and $9.4 million, with a primary estimate 
of monetized annualized benefits of $7.1 million at a 7 percent 
discount rate. We did not estimate monetized benefits for several 
requirements, including recordkeeping for equipment maintenance and 
classing certain newly built vessels.

IV. Background, Basis, and Purpose

    This is one of two Coast Guard publications that appear in today's 
Federal Register and involve uninspected CFVs:
     A separate document announcing our withdrawal of a 
rulemaking (RIN 1625-AA77) that we began prior to 2010, and for which 
we issued an advance notice of proposed rulemaking (ANPRM) in 2008.\8\
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    \8\ 73 FR 16815 (Mar. 31, 2008).
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     This proposal to implement 2010 and 2012 statutory 
mandates. The proposed rule is the first Federal Register publication 
issued in connection with the RIN 1625-AB85 rulemaking.
    The basis of this proposed rule is the CGAA, as amended by the 
CGMTA. Both acts amended several provisions pertaining to CFVs that 
were first enacted as part of the Commercial Fishing Industry Vessel 
Safety Act of 1988 and codified in 46 U.S.C., chapter 45.\9\ We discuss 
specific CGAA and CGMTA mandates and how they are implemented in the 
proposed rule in Part VI of this preamble.
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    \9\ Pub. L. 100-424, 102 Stat. 1585 (Sept. 9, 1988).
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    The purpose of this proposed rule is to implement those CGAA and 
CGMTA mandates that pertain to CFVs, that became effective upon 
enactment of the CGAA in 2010 and the CGMTA in 2012, and that can be 
incorporated in Coast Guard CFV regulations without the exercise of any 
Coast Guard discretion. In many cases, the new mandates significantly 
change previous statutory requirements for CFVs. Current Coast Guard 
CFV regulations in 46 CFR part 28 align with the previous statutory 
requirements but not with the new mandates. This results in confusion 
for the regulated public. This proposed rule would align our 
regulations with the CGAA and CGMTA mandates. It does not reflect any 
provision of the Coast Guard Authorization Act of 2015. That Act will 
be the subject of future Coast Guard regulatory action.

V. Discussion of Comments on 2008 ANPRM

    In response to our 2008 ANPRM, we heard from 43 public commenters, 
9 of whom spoke at the public meetings held in Seattle, WA in November 
2008. Several commenters made multiple submissions to the docket. 
Twelve of the commenters identified their primary affiliation as the 
commercial fishing industry; ten were naval architects, engineers, or 
consultants; seven were affiliated with safety activity (generally 
trainers or examiners); four were affiliated with Federal or State 
government; four were equipment manufacturers or service companies; 
three were individual fishermen; one commented on behalf of the 
Commercial Fishing Industry Vessel Safety Advisory Committee (CFIVSAC; 
renamed ``Commercial Fishing Safety Advisory Committee'' by the CGAA); 
one commented on behalf of the Coast

[[Page 40441]]

Guard-sponsored Task Force for Implementation of the Global Mariner 
Distress and Safety System; and one did not identify any affiliation.
    The ANPRM posed 30 questions for public comment, as shown in Table 
1. Only a few commenters responded specifically to individual 
questions, but most commenters discussed themes related to those 
questions. Our discussion groups all comments by theme.

                                   Table 1--ANPRM Questions and Related Themes
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                       Question                                                   Theme
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1. Given the statistics on vessel losses in Tables 2    Stability and watertight integrity (SWI).
 and 3 (of the ANPRM), what issues related to
 stability and watertight integrity should the Coast
 Guard consider addressing in regulations?
2. Table 2 (of the ANPRM) shows that vessel flooding    Stability and watertight integrity.
 results in the most vessel losses, and Table 3 (of
 the ANPRM) shows that flooding and sinking account
 for a significant portion of fatalities. What areas
 should be addressed to reduce vessel flooding losses
 and fatalities?
3. What routine measures are used to prevent            Stability and watertight integrity.
 unintentional flooding?
4. How often is your vessel examined by a marine        Risk awareness and minimization.
 surveyor and under what circumstances? Is
 documentation of the survey provided?
5. Table 3 (of the ANPRM) shows that fire is a          Causes of loss other than SWI.
 significant cause of vessel losses. What areas should
 the Coast Guard consider addressing to reduce the
 number of fire-related vessel losses (including, but
 not limited to: Construction standards, detection and
 extinguishing equipment, firefighting equipment, and
 firefighting training)?
6. What means are used to limit the danger of fires     Causes of loss other than SWI.
 and the consequence of fires?
7. Table 2 (of the ANPRM) shows that a significant      Causes of loss other than SWI.
 number of vessel losses are related to allisions,
 collisions, and groundings; how should the Coast
 Guard address these causes of vessel losses?
8. What impact has safety training had in improving     Instruction and drill requirements.
 safety within the commercial fishing industry? Do you
 have recommendations concerning safety training?
9. What impact have crew drills had in improving        Instruction and drill requirements.
 safety within the commercial fishing industry? Do you
 have recommendations concerning crew drills?
10. If training were required, would it be              Instruction and drill requirements.
 accomplished during off-season times?
11. How would additional training impact one's ability  Instruction and drill requirements.
 to fish?
12. If stability standards for vessels between 50 feet  Stability and watertight integrity.
 and 79 feet in length are considered, what standards
 should apply, and to which vessels should the
 standards apply?
13. How does a crew become experienced in safety        Instruction and drill requirements.
 procedures?
14. Should entry level crewmembers be expected to have  Instruction and drill requirements.
 a minimum level of familiarity with safety
 procedures?
15. How and when is stability guidance used? If         Instruction and drill requirements.
 stability guidance is available but not used, please
 explain why.
16. How are operating personnel made aware of           Instruction and drill requirements.
 stability and watertight integrity guidance?
17. How often should stability guidance be reviewed,    Instruction and drill requirements.
 updated, or validated?
18. How are modifications to a vessel or its gear       Stability and watertight integrity.
 accounted for relative to the vessel's maximum load,
 watertight integrity, and other stability
 considerations?
19. How adequate are current requirements for personal  Safety and survival equipment.
 protection and survival equipment?
20. How do crew members become familiar with vessel     Safety and survival equipment.
 safety?
21. How are safety risks aboard your vessel(s)          Risk awareness and minimization.
 identified and minimized?
22. If you are a small business, what economic impact   Regulatory costs and benefits.
 on you, your business, or your organization would the
 rules we are considering have? In your comments
 please explain why, how, and to what degree such
 rules would have an economic impact.
23. Have you experienced--or are you aware of--any      Regulatory costs and benefits.
 situations where any of the measures under
 consideration saved lives, or prevented/reduced harm/
 damage to vessels?
24. Are there areas not addressed that would benefit    Miscellaneous.
 safety within the commercial fishing industry?
25. What are the costs of each requirement we are       Regulatory costs and benefits.
 considering? Are there comparable alternative
 solutions to each requirement under consideration
 that may be more cost effective?
26. What are the direct and indirect costs of each      Regulatory costs and benefits.
 requirement we are considering? For example, labor
 costs, training costs, and hourly wages of fishermen
 (or alternative measures of valuing their time if
 they are not salaried)? The costs of vessel losses,
 including equipment, lost catches, and any other
 opportunity costs?
27. Can any of the requirements we are considering be   Regulatory costs and benefits.
 completed off-season? If so, which ones? For those
 that cannot, how much time would be taken away from
 productive fishing time to complete the requirement?
 How would this affect revenue, i.e., fish catches?
28. What would be the impact on the domestic fishing    Regulatory costs and benefits.
 industry, if any, of each requirement we are
 considering? Would there be a differential impact by
 size of vessel or region?
29. What would be the economic impact of each           Regulatory costs and benefits.
 requirement we are considering on States, local, and
 tribal governments?
30. What other requirements, if any, should the Coast   Miscellaneous.
 Guard be considering?
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A. Stability and Watertight Integrity Questions

    Table 2 shows the ANPRM's five questions relating to a vessel's 
stability and watertight integrity (SWI).

[[Page 40442]]



     Table 2--ANPRM Questions on Stability and Watertight Integrity
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1. Given the statistics on vessel losses in Tables 2 and 3 (of the
 ANPRM), what issues related to SWI should the Coast Guard consider
 addressing in regulations?
2. Table 2 (of the ANPRM) shows that vessel flooding results in the most
 vessel losses, and Table 3 (of the ANPRM) shows that flooding and
 sinking account for a significant portion of fatalities. What areas
 should be addressed to reduce vessel flooding losses and fatalities?
3. What routine measures are used to prevent unintentional flooding?
12. If stability standards for vessels between 50 feet and 79 feet in
 length are considered, what standards should apply, and to which
 vessels should the standards apply?
18. How are modifications to a vessel or its gear accounted for relative
 to the vessel's maximum load, watertight integrity, and other stability
 considerations?
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    Twenty-three commenters responded to these questions.
    New SWI measures. Eight commenters said additional high water alarm 
requirements are needed, while two others said they were not. Six 
commenters addressed the adequacy of existing SWI regulatory measures, 
with three calling them inadequate, two saying better training and 
enforcement is needed, and one saying SWI documentation requirements 
need strengthening. Five commenters said we should require stability 
training. Four commenters asked us to issue additional SWI regulations 
and extend SWI regulations to smaller vessels. Three commenters asked 
us to require periodic stability reassessment. One commenter said 
watertight enclosures need additional labeling.
    We agree that additional high water alarm protection, better SWI 
training and documentation, and stability assessment and periodic 
reassessment would all contribute to reducing the risk of SWI-related 
CFV casualties. It is unclear to us whether the labeling of watertight 
enclosures requires additional regulatory attention and we ask for 
public comment on that topic. With respect to SWI and as we discuss in 
the next section of this preamble, our proposed rule would implement 
the statutory mandate for new subpart C CFVs less than 50 feet overall 
in length to meet recreational vessel construction standards, which 
include safe loading requirements (33 CFR part 183, subpart C) that 
help ensure small vessel stability. The other additional SWI measures 
cited by commenters on the ANPRM are not included in CGAA or CGMTA 
mandates, and therefore are beyond the scope of this proposed rule. The 
Coast Guard is reviewing additional measures and may take action in a 
separate future rulemaking.
    SWI information. Five commenters provided or offered to provide 
information on routine measures to prevent unintentional flooding. Five 
commenters provided or offered to provide detailed information for 
developing new regulations. Three commenters said it is difficult to 
account for the impact of vessel modifications on vessel stability. Two 
commenters cited the importance of regular vessel maintenance and 
inspection for SWI. Two commenters said fatigue and fishing season 
limitations contribute to flooding losses and deaths. One commenter 
said stability is not an issue for smaller vessels.
    We appreciate the information commenters provided and may use it in 
developing future regulatory proposals. We agree on the difficulty of 
assessing changes in a vessel's stability, and on the importance of 
regular SWI inspection and maintenance. We acknowledge the SWI risks 
posed by fatigue and fishing season factors, but point out that we lack 
regulatory authority over either issue. We agree that smaller CFVs may 
not be prone to the same stability issues that are relevant for larger 
vessels, but this does not mean small vessels are immune to SWI 
problems. Our data show that SWI may be a factor in some small vessel 
casualties.
    SWI cost and logistics issues. Seven commenters expressed concern 
over the cost of new SWI regulations; three commenters wondered if 
there are enough naval architects to conduct additional stability 
assessments; and another commenter was concerned about the difficulty 
of obtaining stability assessments or training in small, remote fishing 
villages. Three commenters said we should take the needs and conditions 
of specific fisheries into account.
    As previously noted, the scope of this rule is limited to proposing 
to implement the CGAA and CGMTA-mandated recreational vessel 
construction requirements for certain CFVs. Therefore at this time we 
are taking no action on SWI, but should we do so in the future, we 
would invite public comment on the validity of the cost and logistical 
concerns raised by commenters on the ANPRM, and on how best to address 
those concerns.
    Miscellaneous. In addition, some of the 29 commenters who responded 
to Questions 24 and 30, which invited comment on miscellaneous issues, 
raised SWI points in those responses. Three commenters discussed ways 
of reducing flooding risk, including bilge and open-door alarms and 
regular hull examinations. One commenter said we should revise freeing 
port requirements to align with international standards. We agree that 
all these ideas could be worthy of consideration for future regulatory 
action, but since none is the subject of CGAA or CGMTA mandates, they 
are beyond the scope of this proposed rule. Should we take future 
regulatory action on SWI, hull examinations, and freeing port 
requirements, we would seek public comment on how best to address those 
issues.

B. Causes of Loss Other Than SWI

    Table 3 shows the three questions we asked in the ANPRM relating to 
causes of loss other than stability and watertight integrity.

        Table 3--ANPRM Questions on Causes of Loss Other Than SWI
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
5. Table 3 (of the ANPRM) shows that fire is a significant cause of
 vessel losses. What areas should the Coast Guard consider addressing to
 reduce the number of fire-related vessel losses (including, but not
 limited to, construction standards, detection and extinguishing
 equipment, firefighting equipment, and firefighting training)?
6. What means are used to limit the danger of fires and the consequence
 of fires?
7. Table 2 (of the ANPRM) shows that a significant number of vessel
 losses are related to allisions, collisions, and groundings; how should
 the Coast Guard address these causes of vessel losses?
------------------------------------------------------------------------


[[Page 40443]]

    Eight commenters responded to these questions.
    Risk in general. Among factors cited as raising risk for CFVs are 
weather (4 commenters) and fatigue (3 commenters). Among factors cited 
as lowering risk for CFVs are training (2 commenters), and safety and 
security watchstanders (1 commenter). Two commenters provided technical 
information that we may use in developing future regulatory action. We 
agree with each of the factors cited as raising or lowering CFV risk, 
and we may address them in a future rulemaking. The legislation 
mandated additional training for persons in charge of certain CFVs.\10\ 
Because that mandate cannot be implemented without the exercise of the 
Coast Guard's discretion, it is not reflected in this proposed rule but 
may be the subject of future regulatory action.
---------------------------------------------------------------------------

    \10\ 46 U.S.C. 4502(g).
---------------------------------------------------------------------------

    Reducing fire risk. Three commenters provided or offered to provide 
information about measures used to limit fire danger or to control the 
consequences of fire. We may use that information in developing future 
regulatory action. Three commenters specified additional factors, for 
example vessel examinations, that can reduce the risk of fire; a fourth 
commenter said several factors beyond the control of any regulator 
could lead to fire on smaller vessels. We agree with all four 
commenters. Additional fire risk control measures are not included in 
CGAA or CGMTA mandates and therefore are beyond the scope of this 
proposed rule.
    Miscellaneous. In addition, some of the 29 commenters who responded 
to Questions 24 and 30, which invited comment on miscellaneous issues, 
raised ``other causes of loss'' points in those responses. Two 
commenters said we should pay more attention to preventing or dealing 
with man-overboard incidents, and one commenter each cited the quality 
of weather reports, crew fatigue, structural fire protection, and pre-
employment drug testing as factors deserving our regulatory attention. 
We agree that these are all factors that can affect CFV safety, and we 
may consider them in the future. None of the factors cited by the 
commenters is addressed in CGAA or CGMTA mandates and, therefore, they 
are all beyond the limited scope of this proposed rule.

C. Risk Awareness and Minimization

    Table 4 shows the two questions we asked in the ANPRM about risk 
awareness and minimization.

       Table 4--ANPRM Questions on Risk Awareness and Minimization
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
4. How often is your vessel examined by a marine surveyor and under what
 circumstances? Is documentation of the survey provided?
21. How are safety risks aboard your vessel(s) identified and minimized?
------------------------------------------------------------------------

    Twenty commenters responded to these questions.
    Vessel examination. Nine commenters said we should require 
mandatory periodic vessel self-examinations tailored to the needs and 
conditions of specific fisheries, but two other commenters said that 
over-zealous Coast Guard enforcement and unnecessary vessel boardings 
discourage voluntary vessel self-examination. Four commenters said 
periodic examinations are already required, usually by insurers. Three 
commenters said we should require mandatory Coast Guard dockside vessel 
examinations, but two other commenters said the Coast Guard has too few 
inspectors to conduct such examinations efficiently, and a third 
commenter said required vessel self-examinations would have little 
value. Two commenters pointed out that documentation of vessel self-
examinations could be fraudulent.
    Vessel self-examination is not included in CGAA or CGMTA mandates 
and therefore is beyond the scope of this proposed rule. However, the 
proposed rule does implement the statutory mandate for dockside 
examination of CFVs subject to 46 CFR part 28, subpart C: those that 
operate beyond 3 nautical miles from the U.S. territorial sea baseline, 
or with more than 16 persons onboard, or that are Aleutian Trade fish 
tender vessels (collectively referred to as ``subpart C vessels''). We 
believe we are fully prepared to enforce the dockside examination 
requirement and appropriately staffed to do so. We encourage all CFV 
owners and operators to conduct their own frequent examinations of 
vessel and equipment condition, and we acknowledge that many already do 
so, for insurance reasons or as a best practice. We acknowledge that 
vessel self-examination and compliance documentation could be subject 
to fraud or error, but point out that fraudulent or erroneous 
documentation exposes perpetrators to the civil and criminal penalty 
provisions of 33 CFR subpart 1.07.
    We are concerned by any reports of impropriety in Coast Guard 
enforcement activity, though that is beyond the scope of this 
rulemaking. We are committed to effective, but fair, regulatory 
enforcement. If you believe you have been subject to improper Coast 
Guard enforcement activity, we encourage you to bring it to the 
attention of your local Coast Guard office. You should also be aware 
that under 46 CFR 1.03-20 you can appeal an inspector's action to the 
cognizant Coast Guard District Commander. Finally, if you are a small 
business you may send comments on Coast Guard regulatory enforcement 
actions to the Small Business and Agriculture Regulatory Enforcement 
Ombudsman and the Regional Small Business Regulatory Fairness Boards. 
The Ombudsman evaluates these actions annually and rates each agency's 
responsiveness to small businesses. If you wish to comment on actions 
by employees of the Coast Guard, call the Ombudsman's office at 1-888-
REG-FAIR (1-888-734-3247).
    Other risk minimization measures. Two commenters said that vessel 
owners and operators pass risk information to their crews. One 
commenter each remarked that risks are minimized through regular 
maintenance, drills, and training; that we should require mandatory 
crew training; that we should improve documentation of casualties 
occurring while a vessel is traveling to or from fishing grounds; and 
that we should not require vessel safety officers.
    We agree that keeping crews informed and trained to minimize risk 
is essential for CFV safety. We think some vessels may benefit from 
designating a vessel safety officer. At this time, we take no position 
on whether additional regulatory action is needed to improve in-transit 
casualty documentation. Aside from requiring documentation of crew 
instruction and drills, the risk minimization measures discussed by the 
commenters are not included in CGAA or CGMTA mandates and, therefore, 
are beyond the scope of this proposed rule.
    Miscellaneous. In addition, some of the 29 commenters who responded 
to Questions 24 and 30, which invited

[[Page 40444]]

comment on miscellaneous issues and raised risk awareness and 
minimization points in those responses. Two commenters asked us to 
provide more regulatory guidance, like compliance checklists, and a 
third commenter provided sample checklists and maintenance guidelines. 
Two commenters said we should conduct random dockside safety audits. 
One commenter said we should require mandatory Coast Guard dockside 
vessel examination.
    We try to make valuable information and regulatory guidance 
available to commercial fishermen. Our ``Homeport'' Web site, http://homeport.uscg.mil, features a page dedicated to commercial fishing 
vessels. That page provides numerous links to safety information and 
related Web sites. Random audits are not included in CGAA or CGMTA 
requirements and therefore are beyond the scope of this proposed rule, 
but the proposed rule does implement statutory requirements for the 
mandatory dockside examination of certain CFVs.

D. Instruction and Drill Requirements

    Table 5 shows the nine questions our ANPRM asked about instruction 
and drill requirements.

     Table 5--ANPRM Questions on Instruction and Drill Requirements
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
8. What impact has safety training had in improving safety within the
 commercial fishing industry? Do you have recommendations concerning
 safety training?
9. What impact have crew drills had in improving safety within the
 commercial fishing industry? Do you have recommendations concerning
 crew drills?
10. If training were required, would it be accomplished during off-
 season times?
11. How would additional training impact one's ability to fish?
13. How does a crew become experienced in safety procedures?
14. Should entry-level crewmembers be expected to have a minimum level
 of familiarity with safety procedures?
15. How and when is stability guidance used? If stability guidance is
 available but not used, please explain why.
16. How are operating personnel made aware of stability and watertight
 integrity guidance?
17. How often should stability guidance be reviewed, updated, or
 validated?
------------------------------------------------------------------------

    Twenty-seven commenters responded.
    Training on stability and watertight integrity (SWI). Eight 
commenters said that at least some members of a vessel's crew should 
receive training in SWI. Three commenters said we should adopt the 
Commercial Fishing Industry Vessel Safety Advisory Committee's 
recommendation for all crew members to receive at least some level of 
stability training. Three commenters said they already provide their 
crews with stability training. Two commenters said stability training 
helps the master understand vessel capabilities and develop operational 
guidance for the crew. One commenter said stability training for crew 
members should focus on areas where crew members can assist the master 
in preserving vessel stability.
    This proposed rule does not address SWI training. We encourage CFV 
owners and operators to provide SWI training for all crew members. 
Should we take future regulatory action on SWI training, we would first 
submit our proposed action to the public for comment.
    Vessel-specific stability assessment or guidance. Five commenters 
said we should require assessments and reassessments at least every 
five years, or under other conditions they specified; a sixth commenter 
said requiring assessment results to be reported would impose an 
unnecessary cost. Four commenters said that vessel-specific stability 
guidance is logistically difficult and expensive to provide; a fifth 
commenter specifically cited the difficulty of reassessing an older 
vessel's stability if no vessel blueprints are available. Two 
commenters said stability guidance must be adapted for the use of 
smaller vessels. Two commenters said lightweight surveys are sufficient 
to ensure stability, implying opposition to any requirement for incline 
testing; two other commenters said incline testing can be important 
especially for vessels that are particularly susceptible to weight 
changes; a fifth commenter said inspectors might push for unnecessary 
incline tests. Two commenters said vessels should be required to 
document weight changes continuously. One commenter said stability 
guidance is useful only if it is easy to understand. Another commenter 
said concisely worded stability guidance is easier to understand than 
pictorial displays. One commenter said stability should be reassessed 
only as part of the vessel survey needed to purchase insurance; another 
said reassessment is only necessary if the vessel is significantly 
altered. One commenter said stability guidance should be updated 
whenever a vessel spends significant time in a shipyard or dockside. 
One commenter said the master should be required to review stability 
guidance at least yearly, or prior to every voyage, while another 
commenter said the master could review stability guidance by using a 
simple stability checklist.
    Vessel stability assessment and guidance are not addressed in the 
CGAA or CGMTA mandates, and thus are beyond the scope of this proposed 
rule, but we encourage CFV owners and operators to obtain, make sure 
they understand, and frequently review stability assessments and 
guidance. We think the difficulty and expense of taking these measures 
need to be weighed against the considerable safety risk that comes with 
vessel instability. We also think it is best safety practice to 
reassess a vessel's stability not only after a significant 
modification, but also periodically (for example, every five years), 
because a vessel's stability characteristics can change over long 
periods of time. Should we take future regulatory action to mandate 
this practice, we would first submit the proposed action to the public 
for comment.
    This rule proposes to implement the statutory mandate for new 
subpart C CFVs of less than 50 feet overall in length to meet 
recreational vessel construction standards, which include safe loading 
requirements (33 CFR part 183, subpart B) that help ensure a small 
vessel's stability. Lightweight surveys are often sufficient for 
stability assessment purposes, but we agree with the commenters who 
said incline testing is important for a vessel that is particularly 
susceptible to weight changes. Continual awareness of how changes to a 
vessel or its equipment can affect stability is important, and we 
encourage CFV owners and operators to document vessel weight changes.
    General crew training and drill requirements. Eleven commenters 
said we should increase crew training and periodic retraining 
requirements; seven commenters said we should require periodic 
retraining; three other commenters opposed increased

[[Page 40445]]

requirements due to costs in time and money; another commenter said we 
should exempt experienced fishermen from additional training 
requirements; another said additional training only makes work for the 
Coast Guard; and another said crew members should be included in the 
safety training we conduct for Coast Guard personnel. Five commenters 
said entry-level crew members should have vessel-specific safety 
orientation and training; a sixth commenter said this should not be 
necessary for a crew member with significant recent experience on 
another vessel; and a seventh said that orientation--with good 
leadership from the master--helps prepare crews. Five commenters said 
crew training should be documented. Three commenters said safety 
planning and drills help prepare crews to deal with emergencies. Three 
commenters said compliance with current training requirements is often 
inadequate; while two other commenters said the Coast Guard does not 
adequately enforce those requirements. Two commenters said we should 
address fatigue awareness in crew training, and a third said crews 
should be trained to deal with man-overboard emergencies.
    The legislation mandates additional training for the persons in 
charge of certain CFVs and to document crew instruction and drills, 
which will be the subject of future regulatory action because 
implementation will require further consideration of the appropriate 
exercise of Coast Guard discretionary authority. Otherwise, CGAA and 
CGMTA mandates do not impose other new training requirements, and 
therefore the commenter's recommended changes are beyond the scope of 
the proposed rule. Nevertheless we encourage CFV owners and operators 
to make sure crews are well-trained. The expense and difficulty of crew 
training, retraining, and drills should be weighed against the safety 
risks to which CFV crews are exposed and the safety benefits that 
frequently refreshed training and drills can provide. We do not agree 
that CFV crews need the same training Coast Guard personnel receive--
our training is designed to meet the needs of our service--but we think 
even experienced fishermen can benefit from additional training, 
especially when that training is specific to a vessel's unique 
structural, equipment, and operational characteristics, and that new 
crew members should receive a vessel-specific safety orientation as 
soon as they come aboard. We encourage CFV owners and operators to 
include fatigue awareness and response to man-overboard emergencies in 
their crew training. We are concerned by comments that charge us with 
inadequate enforcement of existing regulations, and we have devoted 
particular attention to planning for effective enforcement of this 
proposed rule.
    Logistics of training. Three commenters said certain training can 
be conducted in the off season, but that other topics need to be 
addressed just prior to and during vessel operations; a fourth 
commenter said that the off season is the only effective time for 
training. Two commenters said providing training in remote coastal 
areas is logistically difficult. Two commenters said we should require 
formal training and periodic retraining for drill instructors. One 
commenter said we should phase in new training requirements to ensure a 
sufficient number of trainers. One commenter said fishing vessel 
operators need to make time for training and that additional training 
would not be unduly burdensome. One commenter said training 
requirements are complicated by late changes in crew membership, but 
another said this complication can be overcome through onboard 
training.
    The legislation mandates additional training for the persons in 
charge of certain CFVs and to document crew instruction and drills, 
which will be the subject of future regulatory action because 
implementation will require further consideration of the appropriate 
exercise of Coast Guard discretionary authority. Otherwise, CGAA and 
CGMTA mandates do not impose other new training requirements, and 
therefore the commenter's recommended changes are beyond the scope of 
the proposed rule. We acknowledge the logistical difficulties involved 
in providing good training, but we agree that the value of training 
makes it worth overcoming those difficulties, and that this often can 
be done by balancing off-season training with onboard training and 
drills.
    Vessel safety and drill officers. Three commenters said we should 
require onboard drill conductors. Three commenters discussed whether a 
``vessel safety officer'' should be mandatory, with two opposing the 
position because it could interfere with the master's authority, and 
the third disputing that idea and supporting the position. We think 
some CFVs can benefit from having designated onboard drill conductors 
and vessel safety officers, but neither is required by CGAA or CGMTA 
mandates nor required by this proposed rule.
    Miscellaneous. In addition to the nine ANPRM questions specifically 
relating to instruction and drill requirements, Questions 24 and 30 
invited comments on miscellaneous issues. Some of the 29 commenters who 
responded to Questions 24 and 30 used the opportunity to discuss 
instruction and drill requirements in general terms. Four commenters 
suggested additional training topics: One each suggesting the use of 
personal flotation devices (PFDs) to mitigate the risk of falling 
overboard, additional training for rescue swimmers, fatigue awareness 
and endurance, and damage control. Two commenters said we should 
provide more information about operational improvements and new 
products that could enhance safety. One commenter said we should 
improve regulatory awareness by mailing the regulations to every vessel 
owner. One commenter said we can improve safety on older vessels that 
cannot upgrade safety features, by focusing on training, instruction, 
and regular inspections.
    None of the additional training topics these commenters suggested 
is required by CGAA or CGMTA mandates, and therefore they are not 
included in this proposed rule. However, we acknowledge that each topic 
can be a useful part of CFV crew safety training. We try to make 
valuable CFV safety information available to commercial fishermen. We 
have briefed attendees on the CGAA/CGMTA mandates at national and 
regional meetings of associations that represent CFV owners and 
operators, and our ``Homeport'' \11\ and ``FishSafe'' \12\ Web sites 
provide a summary of the CGAA/CGMTA mandates \13\ as well as numerous 
links to CFV safety information and related Web sites.\14\ We will 
continue to provide easily accessible CFV safety information, and ample 
guidance and publicity to accompany any new regulations. Our proposed 
rule and any final rule, along with any supplementary materials, will 
also be available in several locations on the Internet, including the 
Federal Register Web site and Regulations.gov. We believe that improved 
training, instruction, and vessel self-examination

[[Page 40446]]

are of value to all vessels, and that this may be particularly true for 
older vessels.
---------------------------------------------------------------------------

    \11\ See https://homeport.uscg.mil/mycg/portal/ep/home.do.
    \12\ See http://www.fishsafe.info/.
    \13\ See http://www.fishsafe.info/Update%20on%20CFVS%20Requirements%20-%201Mar2013.pdf.
    \14\ For example, information on updated dockside safety 
examination requirements appears at http://www.fishsafe.info/Update%20on%20CFVS%20Requirements%20-%201Mar2013.pdf. An alert on 
overloaded CFV lifting gear appears at http://www.fishsafe.info/MSA02-12.pdf, and a dockside safety examination request form appears 
at http://www.fishsafe.info/docksideexamrequest.htm.
---------------------------------------------------------------------------

E. Safety and Survival Equipment

    Table 6 shows the two questions the ANPRM asked about safety and 
survival equipment.

        Table 6--ANPRM Questions on Safety and Survival Equipment
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
19. How adequate are current requirements for personal protection and
 survival equipment?
20. How do crew members become familiar with vessel safety and survival
 equipment?
------------------------------------------------------------------------

    Twenty-four commenters responded to these questions.
    Equipment in general. Five commenters said old equipment needs to 
be replaced and equipment lifespan guidelines should be set for 
specific items. Four commenters said crew members become familiar with 
safety and survival equipment through proper training and frequent 
drills. Four commenters said we should exempt fisheries and types of 
vessels of interest to those commenters. Three commenters said we 
should allow properly labeled outdated equipment to be used for 
training. Two commenters said better protection is needed to prevent 
man-overboard incidents. One commenter each said equipment requirements 
for larger CFVs should apply to all CFVs; that we should develop an 
equipment recall program; and that emergency equipment is often 
improperly installed and maintained.
    The legislation mandates additional training for the persons in 
charge of certain CFVs, and to document crew instruction and drills, 
which will be the subject of future regulatory action because 
implementation will require further consideration of the appropriate 
exercise of Coast Guard discretionary authority. Otherwise, CGAA and 
CGMTA mandates do not impose other new training requirements, and 
therefore the commenter's recommended changes are beyond the scope of 
the proposed rule. However, CFV safety could benefit from examining 
these issues and we may do so in future regulatory action.
    Survival craft.\15\ Five commenters said survival craft often 
cannot be launched by one person. Five other commenters said the 
location of survival craft can be problematic, especially for smaller 
vessels, and can interfere with normal operations. One commenter said 
current survival craft may not be properly designed or equipped. One 
commenter said we should update survival craft requirements, and this 
proposed rule implements the statutory mandate for survival craft to 
protect occupants from immersion in water. We agree with the comments 
made by these commenters and may address the issues they raise in 
future regulatory action.
---------------------------------------------------------------------------

    \15\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The new legislation will be addressed in a 
future rulemaking.
---------------------------------------------------------------------------

    Emergency communications and lighting. Five commenters said we 
should require emergency position indicating radio beacon (EPIRB) 
registration. Two commenters said current emergency lighting 
regulations are inadequate. One commenter asked us to update all 
emergency communication requirements. One commenter noted that EPIRBs 
and other distress signals are often inaccessible in emergencies. We 
agree that EPIRBs should be registered, as is required by Federal 
Communications Commission regulations in 47 CFR 80.1061(e) and (f). CFV 
safety could benefit from examining the issues raised by all these 
commenters and we may do so in future regulatory action, but because 
none of those issues is addressed by CGAA or CGMTA mandates, they are 
beyond the scope of the proposed rule.
    Immersion suits and personal flotation devices. Four commenters 
said we should require immersion suits to be carried in seasonally cold 
waters, and three other commenters noted that hypothermia is possible 
even in warm waters. Four commenters said we should require revised 
immersion suit labeling because ``universal'' suits do not fit many 
crew members. One commenter asked us to require PFDs or other 
protective gear to be worn in rough weather. We agree with the points 
made by these commenters and may address them in future regulatory 
action, but because they are not addressed by CGAA or CGMTA mandates, 
they are not included in this proposed rule.
    Embarkation stations. Three commenters asked us to modify 
embarkation station requirements based on vessel size. One other 
commenter said we should develop new requirements for embarkation 
stations, but another commenter noted that such requirements could be 
counterproductive for smaller vessels. We agree that, in addition to 
the existing 46 CFR 28.395 embarkation station requirements for certain 
CFVs, new vessel-appropriate embarkation station requirements may 
improve CFV safety, and we may consider such requirements for future 
regulatory action, but because they are not addressed by CGAA or CGMTA 
mandates, they are not included in this proposed rule.
    Miscellaneous. In addition, some of the 29 commenters who responded 
to Questions 24 and 30, which invited comment on miscellaneous issues, 
raised safety and survival equipment points in those responses. Three 
commenters said we should require PFDs to be worn in rough weather. Two 
commenters said the Coast Guard should work with cell phone companies 
to provide better coverage on fishing grounds; another commenter cited 
the value of the Coast Guard's Rescue 21 project in improving radio 
coverage. One commenter generally opposed current emergency power 
source requirements; another commenter generally favored adoption of a 
recognized industry standard for such requirements. One commenter each 
said we should require the use of protective equipment under hazardous 
conditions, require vessels to carry damage control kits, require 
immersion suits to be fitted with strobe lights, regulate boarding 
ladder locations, and regulate the safety of vessel front windows.
    CFV safety could benefit from examining the issues raised by all 
these commenters and we may do so in future regulatory action, but 
because none of those issues is addressed by CGAA or CGMTA mandates, 
they are not included in this proposed rule.

F. Regulatory Costs and Benefits

    Table 7 shows the seven questions our ANPRM asked about regulatory 
costs and benefits.

[[Page 40447]]



        Table 7--ANPRM Questions on Regulatory Costs and Benefits
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
22. If you are a small business, what economic impact on you, your
 business, or your organization would the rules we are considering have?
 In your comments please explain why, how, and to what degree such rules
 would have an economic impact.
23. Have you experienced--or are you aware of--any situations where any
 of the measures under consideration saved lives, or prevented/reduced
 harm/damage to vessels?
25. What are the costs of each requirement we are considering? Are there
 comparable alternative solutions to each requirement under
 consideration that may be more cost effective?
26. What are the direct and indirect costs of each requirement we are
 considering? For example, labor costs, training costs, and hourly wages
 of fishermen (or alternative measures of valuing their time if they are
 not salaried)? The costs of vessel losses, including equipment, lost
 catches, and any other opportunity costs?
27. Can any of the requirements we are considering be completed off-
 season? If so, which ones? For those that cannot, how much time would
 be taken away from productive fishing time to complete the requirement?
 How would this affect revenue, i.e., fish catches?
28. What would be the impact on the domestic fishing industry, if any,
 of each requirement we are considering? Would there be a differential
 impact by size of vessel or region?
29. What would be the economic impact of each requirement we are
 considering on States, local, and tribal governments?
------------------------------------------------------------------------

    Twenty commenters responded.
    General impact. Seven commenters commented on the likely expense of 
taking regulatory action to implement ideas discussed in the ANPRM, 
with five commenters saying the cost impact would be significant and 
adverse, and two others saying the impact would vary depending on 
fishery and vessel size. Seven commenters cited ways in which we might 
mitigate regulatory costs for the CFV industry: two saying we should 
focus on fishery-specific regulations; one each saying we should avoid 
imposing new regulations and instead improve CFV safety through online 
instruction, improved weather forecasting, and better Coast Guard 
cooperation with industry; that we should let insurance companies take 
the lead in requiring new safety measures; that we should provide 
grants to help CFV operators finance new safety measures; that we 
should phase in the implementation of costly measures; and that we 
should increase reliance on alternative compliance programs. Two 
commenters provided general cost information, one saying it costs 
almost $1,000 per year to provide safety equipment for vessels 
operating outside the Boundary Line, and the other saying that the 
annual per person direct cost of safety training is no more than $225 
per day, sometimes $100 per day or less.
    The Coast Guard has no statutory role in the accurate development 
or distribution of the weather forecasts available to the CFV 
community. Otherwise, we will be mindful of the cost information and 
concerns voiced by these commenters and will consider their suggestions 
for mitigating cost impacts in taking any future regulatory action. 
This proposed rule is limited to implementing CGAA and CGMTA mandates, 
as we are required by law to do, and because of the limited scope of 
those mandates, the cost impact of this proposed rule is less than it 
would be if we were to proceed with all the regulatory actions we 
discussed in the ANPRM.
    Small business impact. Two commenters said new regulations would 
likely have a significant adverse economic impact on small businesses. 
One commenter said new regulations would be an incentive for small 
business operators to spend less time fishing and more time working in 
safety related work. One commenter provided or can provide detailed 
small business economic information. We agree that new congressionally 
mandated regulations may have an adverse economic impact on small 
businesses. We will be mindful of the impacts on small businesses in 
any future regulatory action. As we have previously explained, this 
proposed rule is limited to implementing CGAA and CGMTA mandates 
without the exercise of Coast Guard discretion. Because of the more 
limited scope of those mandates, the cost impact on small businesses of 
this proposed rule would be less than it would be if we were to proceed 
with all the regulatory actions we discussed in the ANPRM.
    Specific regulatory measures. Seven commenters cited the likely 
high cost of specific regulatory measures discussed in the ANPRM: 
stability (3 commenters), documentation (2 commenters), training (1 
commenter), and boarding ladders and embarkation stations (1 
commenter). Five commenters cited specific regulatory measures that 
would benefit CFV safety: improved instruction and drill (2 
commenters); new regulations in general (1 commenter); new instruction 
and drill, vessel maintenance, immersion suit, and EPIRB regulations (1 
commenter); regular high water alarm tests, crew debriefings after 
emergency drills, and crew discussions of incidents involving other 
vessels (1 commenter). Four commenters provided cost information for 
stability analysis and documentation.
    We agree that all the measures cited by these commenters could 
benefit CFV safety and we may consider them for future regulatory 
action, in which case we may use the cost information some commenters 
provided. The CGAA and CGMTA mandates require persons in charge of 
certain CFVs to receive training (including stability training) and 
require documentation of crew instruction and drills, but otherwise 
they do not address the regulatory measures cited by these commenters, 
and therefore they are not included in this proposed rule.

G. Miscellaneous Issues

    Table 8 shows the two questions our ANPRM asked about miscellaneous 
issues.

            Table 8--ANPRM Questions on Miscellaneous Issues
------------------------------------------------------------------------
 
-------------------------------------------------------------------------
24. Are there areas not addressed (in the ANPRM) that would benefit
 safety within the commercial fishing industry?
30. What other requirements, if any, should the Coast Guard be
 considering?
------------------------------------------------------------------------

    Twenty-nine commenters responded to these questions.
    Regulations for subsets of the CFV industry. Fourteen commenters 
said that our CFV regulations should be modified to reflect the special 
conditions and risks found in certain regions (8 commenters), 
fisheries, or types of

[[Page 40448]]

vessel (6 commenters). In considering any future regulatory action, we 
would try to accommodate subset-specific concerns. This proposed rule 
is limited to implementing CGAA and CGMTA mandates that sometimes 
require different behavior depending on vessel size or operating 
conditions, but which otherwise apply to CFVs regardless of region or 
fishery.
    Coast Guard resources and enforcement. Several commenters 
recommended changes in the way we allocate resources to CFV safety and 
enforce CFV regulations. They suggest we add enforcement resources (6 
commenters); improve enforcement efficiency and fairness (6 
commenters); better enforce existing regulations (2 commenters); focus 
on approving vessel plans and licensing operators (2 commenters); 
develop a competitive grant program to research CFV safety (1 
commenter); have an advisory board of naval architects (1 commenter); 
update Coast Guard safety guidance (1 commenter); and focus on 
providing safety checklists (1 commenter). We may consider these 
recommendations for future action, but none is addressed by CGAA or 
CGMTA mandates and, therefore, all are beyond the scope of this 
proposed rule.
    Though it is beyond the scope of this proposed rule, we are 
concerned by any report of unfairness in Coast Guard enforcement 
activity. We are committed to effective and fair regulatory 
enforcement. If you believe you have been subject to improper Coast 
Guard enforcement activity, we encourage you to bring it to the 
attention of your local Coast Guard office. You should also be aware of 
the ``rights of appeal'' provisions contained in our regulations, in 46 
CFR subpart 1.03. Finally, if you are a small business, you may send 
comments on Coast Guard regulatory enforcement actions to the Small 
Business and Agriculture Regulatory Enforcement Ombudsman and the 
Regional Small Business Regulatory Fairness Boards. The Ombudsman 
evaluates these actions annually and rates each agency's responsiveness 
to small business. If you wish to comment on actions by employees of 
the Coast Guard, call 1-888-REG-FAIR (1-888-734-3247).
    Rulemaking protocols. Several commenters made recommendations about 
guiding principles and procedures that we should keep in mind when 
engaged in CFV rulemakings. They said we should view supporting data 
with caution (3 commenters), provide a long public comment period and 
several public meetings in connection with any NPRM (2 commenters), 
base regulations on International Maritime Organization standards 
wherever possible (2 commenters), use international weight and 
measurement standards (1 commenter), expand voluntary compliance 
programs (1 commenter), and stop grandfathering older vessels (1 
commenter). This rule proposes to implement CGAA and CGMTA mandates 
that have been in place for several years. However, we will bear the 
concerns and recommendations voiced by these commenters in mind in 
taking any further CFV regulatory action. Since the passage of the 2010 
and 2012 legislation, we have made numerous presentations and received 
input from the public at national and regional commercial fishing 
industry meetings, and at the annual meetings of the Commercial Fishing 
Safety Advisory Committee.
    Specific regulatory measures. Several commenters recommended 
specific regulatory measures we should take (or avoid). They said those 
measures should focus on compliance documentation (3 commenters), 
improving fishery management (2 commenters), permitting the use of 
larger, foreign built vessels (2 commenters), avoiding trip report 
requirements (2 commenters), posting compliance documentation for crew 
scrutiny (1 commenter), redefining Boundary Lines to facilitate 
compliance (1 commenter), minimum safety construction standards for all 
new CFVs, reserving safety examination duties for Coast Guard personnel 
rather than marine surveyors (1 commenter), extending documented CFV 
safety equipment requirements to undocumented CFVs (1 commenter), 
avoiding licensing commercial fishermen (1 commenter), and confined 
space entry regulations (1 commenter).
    This rule proposes to implement CGAA and CGMTA mandates relating to 
compliance documentation, recreational vessel construction standards 
for CFVs of less than 50 feet overall in length, mandatory dockside 
examinations for certain CFVs, and regulatory parity for both 
documented and undocumented CFVs; and it proposes to implement the 
statutory substitution of territorial sea baseline references for 
Boundary Line references. Our rule does not propose to require trip 
reports. The Coast Guard has no regulatory responsibility for fishery 
management, and lacks the authority to license commercial fishermen or 
to permit the use of foreign-built vessels where that use is prohibited 
by U.S. law. Neither posting compliance documentation for crew 
scrutiny, excluding non-Coast Guard personnel from vessel examination 
duties, nor confined space entry is addressed by CGAA or CGMTA 
mandates, and therefore all are beyond the scope of the proposed rule, 
though we may consider them for future regulatory action.

VI. Discussion of CGAA and CGMTA Mandates and the Proposed Rule

    The CGAA and CGMTA contain a variety of marine safety provisions. 
Many of those provisions amend 1988 CFV safety legislation that is 
codified in 46 U.S.C. Chapter 45, Uninspected Commercial Fishing 
Industry Vessels. Coast Guard regulations implementing the 1988 
legislation were first issued in 1991 and appear in 46 CFR part 28.\16\ 
Statutory civil and criminal penalties are provided for violations of 
Chapter 45 ``or a regulation prescribed under this chapter.'' See 46 
U.S.C. 4507(a). Coast Guard enforcement procedures are described in 33 
CFR subpart 1.07. In addition, vessels that violate part 28 regulations 
or that are operating under unsafe conditions may have their operations 
restricted or terminated, 46 CFR 28.65, and be subject to other 
operational controls ordered by a District Commander or Captain of the 
Port under 33 CFR 160.111.
---------------------------------------------------------------------------

    \16\ A general summary of statutes and regulations applicable to 
CFVs, written for the benefit of the CFV public, appears at http://www.fishsafe.info/FederalRequirementsCFV2009.pdf.
---------------------------------------------------------------------------

    In many cases the CGAA and CGMTA changes either require or permit 
the Coast Guard to amend its CFV regulations. This rule proposes to 
implement those statutory mandates that pertain to CFVs, that took 
effect upon enactment of the CGAA in October 2010 and the CGMTA in 
December 2012, and that can be incorporated in Coast Guard CFV 
regulations without the exercise of any Coast Guard discretion. This 
rule does not propose to apply any new or existing Coast Guard 
discretionary authority. We are considering additional regulatory 
action that would implement the Coast Guard's discretionary authority 
in the CGAA and CGMTA and improve the safety of commercial fishing 
vessel operation. Should we take that action, we will first solicit 
public comment.
    Vessel parity. CGAA section 604(a)(2)(A) amends 46 U.S.C. 
4502(b)(1), which contains special provisions for subpart C CFVs--those 
that operate beyond the Boundary Lines and with more than 16 
individuals on board, or are fish tender vessels engaged in the 
Aleutian trade.\17\ Until enactment of the CGAA, section 4502(b)(1) 
applied only to Federally documented CFVs,\18\

[[Page 40449]]

and not to any of the (typically) smaller CFVs that require only State 
registration. The CGAA removed that restriction so that subpart C CFVs 
now can be either documented or undocumented.
---------------------------------------------------------------------------

    \17\ 46 CFR 28.200.
    \18\ See 46 CFR 67.7 for what constitutes a documented vessel: 
``Any vessel of at least five net tons which engages in the 
fisheries on the navigable waters of the United States or in the 
Exclusive Economic Zone, or coastwise trade, unless exempt under 
Sec.  67.9(c), must have a Certificate of Documentation bearing a 
valid endorsement appropriate for the activity in which engaged.''
---------------------------------------------------------------------------

    This rule proposes to implement the CGAA by revising the subpart C 
heading and Sec. Sec.  28.200, 28.205, 28.210, 28.215, 28.225, 28.230, 
28.235, 28.240, 28.245, 28.250, 28.255, 28.260, 28.265, and 28.270. 
Generally, the proposed revisions eliminate language that reflects the 
previous exclusion of undocumented CFVs from the ``subpart C CFV'' 
category.
    Some existing subpart C regulatory requirements are the result of 
prior Coast Guard discretionary determinations that are necessary for 
the safety of the documented CFVs to which subpart C formerly was 
restricted. It may make sense now to extend those same requirements to 
undocumented CFVs, but because this proposed rule relies exclusively on 
CGAA and CGMTA mandates and not use of Coast Guard discretionary 
authority, we cannot make that determination at this time. Where this 
is the case, the rule proposes to amend the regulation to clarify that, 
at least for now, it would continue to apply only to documented subpart 
C CFVs.
    Before the CGAA was enacted, 46 U.S.C. 4502(a) mandated only basic 
safety equipment for all CFVs. The Coast Guard had discretionary 
authority to require additional safety equipment, but only if a CFV met 
special conditions defined elsewhere in section 4502. CGAA section 
604(a)(1)(A) amends section 4502(a) so that it, too, now gives the 
Coast Guard discretionary authority to require additional equipment on 
any CFV, if we determine that ``a risk of serious injury exists that 
can be eliminated or mitigated by that equipment.'' Because such a 
determination would exercise our discretionary authority, it is beyond 
the scope of this proposed rule, which is limited to implementing CGAA 
and CGMTA mandates. We may exercise that discretion in future 
rulemakings. To that end, we request public comment identifying the 
types or operational characteristics of CFVs that are at risk of 
serious injury, and identifying equipment that can eliminate or 
mitigate that risk and that the Coast Guard should require by 
regulation.
    Substitution of baseline for Boundary Line criteria. Special 
provisions in 46 U.S.C. 4502(b) pertain to the subset of CFVs that 
operate relatively far from shore, or with more than 16 persons 
onboard, or that are Aleutian Trade fish tender vessels. This subset is 
subject to special regulatory requirements contained in 46 CFR part 28, 
subpart C. Prior to enactment of the CGAA, section 4502(b) defined the 
relevant distance from shore as ``beyond the Boundary Line.'' The 
location of the Boundary Line varies by distance from the coastline 
around the country.\19\ CGAA section 604(a)(2)(B) amends 46 U.S.C. 
4502(b)(1)(A) by replacing the statutory Boundary Line with ``3 
nautical miles from the baseline from which the territorial sea of the 
United States is measured or beyond 3 nautical miles from the coastline 
of the Great Lakes.'' As defined in 33 CFR 2.20, the territorial sea 
baseline is ``the line defining the shoreward extent of the territorial 
sea of the United States drawn according to the principles, as 
recognized by the United States, of the Convention on the Territorial 
Sea and the Contiguous Zone . . . and the 1982 United Nations 
Convention on the Law of the Sea (UNCLOS). . . . Normally, the 
territorial sea baseline is the mean low water line along the coast of 
the United States.'' Generally, navigation charts mark the three-
nautical mile distance (the ``3-mile line'') from the baseline.
---------------------------------------------------------------------------

    \19\ See Coast Guard regulations prescribing those variations at 
46 CFR part 7.
---------------------------------------------------------------------------

    This rule proposes to update references, in the table to 46 CFR 
28.110, to the lifesaving devices required by subpart C. It proposes to 
replace ``Boundary Line'' with ``3-mile line'' references.
    Survival craft. In two separate provisions, the CGAA provided that 
a survival craft must ensure ``that no part of a person is immersed in 
water'' (``non-immersibility''). The first provision, CGAA section 
604(a)(2)(C), amended 46 U.S.C. 4502(b)(2)(B) to require non-immersible 
craft on subpart C CFVs. Second, section 609 had added 46 U.S.C. 3104 
to require non-immersible craft on any vessel subject to Coast Guard 
inspection or regulation, including all CFVs.\20\ As a result of later 
legislation, however, section 309 no longer applies to any CFV.\21\ In 
this rule, we propose to amend 46 CFR 28.120 and 28.130 to give effect 
to section 604's non-immersibility provision.
---------------------------------------------------------------------------

    \20\ As subsequently amended by sec. 303 of the CGMTA, sec. 609 
of the CGAA gave us discretionary authority to authorize the 
continued use, until February 26, 2016, of survival craft that 
cannot ensure non-immersibility (``older survival craft''), if we 
approved them under the applicable subpart of 46 CFR part 160 before 
2010, and if the person in charge of the CFV determined under 46 CFR 
28.140 that they remain in serviceable condition. Between 2010 and 
February 2016 we granted that authorization to any CFV to which the 
non-immersibility requirements applied.
    \21\ The Coast Guard Authorization Act of 2015, Pub. L. 114-120, 
amended 46 U.S.C. 3104 by limiting its applicability to passenger 
vessels only, thereby removing any CFV from its coverage and leaving 
only the non-immersibility language of 46 U.S.C. 4502(b)(2)(B) in 
place for subpart C CFVs. Despite the removal of non-immersion 
requirements for non-subpart C vessels, should we find that non-
immersible survival craft could provide substantial safety benefits 
for those vessels, using our discretionary regulatory authority we 
could require them in a separate future regulatory action.
---------------------------------------------------------------------------

    Records. CGAA section 604(a)(3) amends 46 U.S.C. 4502(f) to require 
that an individual in charge of any subpart C vessel keep a record of 
equipment maintenance and required instruction and drills. The rule 
proposes to amend 46 CFR 28.200 by requiring these records to be kept 
for three years, the maximum retention period ordinarily required by 
the Paperwork Reduction Act of 1995.\22\ We request comments on further 
specifications for this record retention requirement.
---------------------------------------------------------------------------

    \22\ 44 U.S.C. 3501-3520.
---------------------------------------------------------------------------

    Vessel examinations. CGAA section 604(a)(3), as amended by CGMTA 
section 305(a), amends the dockside safety examination provisions of 46 
U.S.C. 4502(f). The 1988 legislation added section 4502(f), requiring 
the Coast Guard to examine at least once every two years, at dockside, 
all fish processing vessels and Aleutian Trade fish tenders, and to 
issue a certificate to each successfully examined vessel to show that 
it complies with all 46 U.S.C. Chapter 45 requirements and 46 CFR part 
28 implementing regulations.
    Our current dockside examination program was developed after we 
issued our 1991 regulations to implement the 1988 legislation.\23\ Our 
FishSafe Web site provides CFV owners, operators, and personnel with 
information about dockside examinations.\24\ In general, examinations 
check for a vessel's lifesaving equipment, documentation, bridge and 
engine room equipment, and other miscellaneous required items. In 
addition to providing examinations for the fish processors and Aleutian 
Trade fish tenders that the 1988 legislation required them to, we 
encouraged other CFV owners and operators to obtain dockside 
examinations voluntarily. Whether mandatory or voluntary, we

[[Page 40450]]

issue a dated Commercial Fishing Vessel Safety Decal to any CFV that 
successfully completes its dockside examination. The decal indicates 
that the dockside examiner has found the CFV to be in compliance with 
all applicable Federal laws, not just 46 U.S.C. Chapter 45 and 46 CFR 
part 28. Many CFVs benefit from having this decal; if they operate in 
fisheries frequented by endangered or threatened marine species, they 
may be required under National Marine Fisheries Service (NMFS) 
regulations \25\ to have a NMFS-approved observer onboard. NMFS 
regulations \26\ prohibit observers from going or staying onboard any 
CFV that does not display a valid decal. Thus, by 2010, dockside 
examinations were a well-developed and familiar feature of our CFV 
safety program.\27\
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    \23\ See Commandant Instruction 16711.13B, ``Implementation of 
Commercial Fishing Industry Vessel Regulations,'' Aug. 17, 1995.
    \24\ See http://www.fishsafe.info/. Several pages on that Web 
site are referenced in footnotes to this discussion.
    \25\ 50 CFR part 222, subpart D.
    \26\ 50 CFR 600.746 (c), (d).
    \27\ Regulations providing for dockside examinations appear at 
46 CFR 28.710 (fish processing vessels) and 28.890 (Aleutian Trade 
Act vessels), and are supplemented by the guidance in COMDTINST 
16711.13B (1995), available at http://www.uscg.mil/directives/ci/16000-16999/CI_16711_13B.pdf.
---------------------------------------------------------------------------

    Against this backdrop, CGAA section 604(a)(3) left the dockside 
examination requirement of 46 U.S.C. 4502(f) unchanged, except to 
extend the requirement to any CFV (including fish processors and 
Aleutian Trade fish tenders) subject to section 4502(b) and regulated 
under 46 CFR part 28, subpart C. We interpret section 604(a)(3) as 
expressing Congress's intent for us to take the same well-developed and 
familiar dockside examination program that originally applied to fish 
processors and Aleutian Trade fish tenders, and apply it to a broader 
CFV population. The first examination under the new provisions were 
required to take place no later than October 15, 2015. Under 46 U.S.C. 
2117, the Coast Guard can order the termination of a CFV's operation, 
if it fails to carry a valid certificate of compliance to demonstrate 
successful completion of the dockside examination.
    This proposed rule would add 46 CFR 28.201(a) to incorporate the 
new subpart C CFV dockside examination requirement. Because this 
proposed rule's regulatory text would be limited to the mandatory 
language of the CGAA and the CGMTA, section 28.201(a) provides few 
details to guide vessel owners and operators on how to request 
examinations. We are considering future regulatory action to specify a 
procedure, and would first submit any proposed action to the public for 
comment. For now, CFV owners and operators who are subject to the 
vessel examination requirement can demonstrate compliance with the 
examination requirement by displaying a current, valid safety decal, by 
having a Form CG-5587 signed by a Coast Guard examiner, or by having a 
signed letter of compliance from an accepted third-party organization, 
such as a marine surveyor, as proof that the vessel has passed an 
examination and is compliant with current regulations. Owners and 
operators can contact their local Coast Guard Sector, Marine Safety 
Unit, or Field Office to arrange for an examination or to obtain more 
information,\28\ or they can request the examination online.\29\
---------------------------------------------------------------------------

    \28\ A copy of the dockside examination booklet is given to 
operators and owners at the time of the examination and can be 
retained to demonstrate regulatory compliance should the vessel 
subsequently be boarded by Coast Guard personnel. The booklet 
includes a list of the specific items to be examined. See http://www.uscg.mil/hq/cgcvc/cvc3/references/CFVS_Exam_Booklet_CG-5587_Revised_06_08.pdf. At the Coast Guard's FishSafe site (http://www.fishsafe.info/), a prominently displayed link to http://www.uscg.mil/d13/cfvs/DocksideExams/vFinal.swf directs CFV personnel 
to the Commercial Fishing Vessel Checklist Generator, which helps 
personnel prepare for a dockside exam. In response to answers that 
personnel supply about their vessel and its operations, the 
Checklist Generator provides information about the specific items 
examiners will check. The Checklist Generator also provides links to 
regulations and other official references related to each item.
    \29\ See http://www.fishsafe.info/docksideexamrequest.htm.
---------------------------------------------------------------------------

    Even though CGMTA section 305(a) lengthened the interval for 
mandatory dockside examinations from two years to five years, we 
continue to encourage all CFV owners and operators to obtain dockside 
examinations at least once every two years, voluntarily, whether or not 
their vessels are subject to the legislative mandate.
    Training. CGAA section 604(a)(4) adds 46 U.S.C. 4502(g), which 
requires an individual in charge of a subpart C CFV to pass a training 
program. The training program must recognize and give credit for recent 
CFV experience, and must cover seamanship, stability, collision 
prevention, navigation, fire-fighting and prevention, damage control, 
personal survival, emergency medical care, emergency drills and 
communication, and weather. Section 4502(g) mandates that a certificate 
be issued upon successful completion of the training, and requires 
refresher training every 5 years. Finally, section 4502(g) requires the 
Coast Guard to establish an electronic database listing individuals who 
have completed the training.
    The proposed rule proposes no action with respect to section 
4502(g), because before we can enforce its training requirement, we 
must first use our discretionary authority to determine how to 
recognize and give credit for CFV experience, and develop the specific 
items that training covers, within the broad subject areas listed in 
the statute. We intend to do so in a future regulatory action that, 
likely, will propose an amendment to 46 CFR 28.270. In the meantime, 
and for better clarity, we are making a nonsubstantive change to Sec.  
28.270, by moving the substance of the ``Note'' currently appearing at 
the end of the section, so that it now serves as introductory language 
at the beginning of the section.
    Construction standards for smaller vessels. CGAA section 604(a)(4) 
adds 46 U.S.C. 4502(h), which mandates that each subpart C CFV less 
than 50 feet overall in length and built after January 1, 2010 must be 
constructed so as to provide a level of safety equivalent to the level 
provided by recreational vessel standards established under 46 U.S.C. 
4302. Those standards are contained in Coast Guard regulations in 33 
CFR part 183, and the Coast Guard regularly uses its delegated 
authority under 46 U.S.C. 4305 to exempt manufacturers from particular 
part 183 standards that are not essential for safety given a vessel's 
specific characteristics. The part 183 standards require most 
recreational vessels (including any vessel that would be suitable for 
CFV use) to--
     Observe safe loading requirements;
     Observe horsepower capacity limits;
     Provide adequate flotation;
     Meet safe electrical and fuel system standards (except 
with respect to outboard motors or other portable equipment);
     Provide adequate ventilation for gasoline engines;
     Be equipped with a device to prevent the motor being 
started when the engine is already in gear; and
     Be equipped with all required navigation lights.
    Affected CFVs need not comply with each specific requirement of 
part 183. For example, as commercial vessels, we do not expect them 
necessarily to carry the weight and horsepower capacity labels that 
part 183 requires for vessels in solely recreational use. However, we 
do expect that all affected CFVs will be able to demonstrate that they 
provide a level of safety that is equivalent to the level that would be 
provided if they complied with every part 183 requirement. This rule 
proposes restating the statutory mandate in 46 CFR 28.202.
    Load lines. CGAA section 604(d)(1), as amended by CGMTA section 
305(d), limits the existing 46 U.S.C. 5102(b)(3)

[[Page 40451]]

exemption of all commercial fishing vessels from load line requirements 
by exempting only vessels built prior to July 1, 2013. Thus, section 
604(d)(1) would apply not only to the uninspected CFVs with which this 
proposed rule is concerned, but also to any inspected fishing vessels--
of which there are none at this time. The section 5102(b)(3) exemption 
now is unavailable to any vessel built after July 1, 2013. Like other 
commercial vessels, CFVs built after July 1, 2013 need to comply with 
the existing load line regulations in 46 CFR subchapter E if they are 
79 feet or more in length and venture outside the statutory Boundary 
Line.
    The proposed rule would add 46 CFR 28.170 to require each fishing 
vessel built after July 1, 2013, to be assigned a load line in 
accordance with 46 CFR subchapter E if it is 79 feet in length or 
greater and operates outside the Boundary Line. The rule also proposes 
to amend 46 CFR 28.500 to make it clear that CFV stability regulations 
continue to apply to certain CFVs, even though those CFVs will be 
subject to load line requirements as well.
    Load lines are also the subject of CGAA section 604(d)(2), which, 
as amended by CGMTA section 305(d), adds 46 U.S.C. 5103(c). This 
requires vessels built on or before July 1, 2013 to comply with an 
alternate load line compliance program developed in cooperation with 
the industry, if they complete a major conversion after that date. 
Section 604(d)(2) requires the Coast Guard to issue regulations 
establishing the alternate load line compliance program, but does not 
provide a deadline for doing so.
    This proposed rule would take no action with respect to new section 
5103(c), because before we can enforce its requirement for an alternate 
load line compliance program, we must first use our discretionary 
authority to develop the details of that program, in cooperation with 
industry. We are considering providing those details in a future 
regulatory action, and would first seek input from appropriate sources 
and submit any proposed action to the public for comment.
    Classing of vessels.\30\ CGAA section 604(e)(1), as amended by 
CGMTA section 305(c), amends 46 U.S.C. 4503, which formerly applied 
only to fish processing vessels built or converted after July 27, 1990. 
As amended, section 4503 now applies to those fish processing vessels 
and also to each subpart C vessel that operates beyond 3 nautical miles 
from the baseline, is at least 50 feet overall in length, and is built 
after July 1, 2013. These vessels must meet all survey and 
classification requirements prescribed by the American Bureau of 
Shipping (ABS) or another approved organization. The ABS and other 
organizations have existing requirements that apply to CFVs, and each 
organization can add or modify those requirements in the future, as 
they choose.
---------------------------------------------------------------------------

    \30\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Pub. L. 114-120, changed the applicability of classing requirements 
for CFVs. The 2010 and 2012 legislation extended the classing 
requirement to CFVs of 50 feet or more in length and built before 
July 1, 2013. The 2015 Act exempts from that requirement CFVs of at 
least 50 and not more than 79 feet overall in length, and built 
after Feb. 8, 2016, provided their construction is overseen by a 
State-licensed naval architect or marine engineer, and their design 
``incorporates standards equivalent to those prescribed by a 
classification society . . . or another qualified organization . . . 
.'' This NPRM does not incorporate any of the 2015 provisions, which 
must be reflected in our regulations through future regulatory 
action.
---------------------------------------------------------------------------

    ABS rules \31\ issued in 2001 for steel fishing vessels under 295 
feet in length illustrate the requirements an approved organization may 
provide for CFVs. Under the ABS rules, a vessel must satisfy stability 
requirements that include--
---------------------------------------------------------------------------

    \31\ Rules for Building and Classing Steel Vessels Under 90 
Meters (295 Feet) in Length (2012), ch. 12: Fishing Vessels.
---------------------------------------------------------------------------

     An intact stability analysis based on the applicable part 
of the International Maritime Organization's (IMO's) Resolution 
A.749(18) Code on Intact Stability for All Types Ships Covered by IMO 
Instrument, as amended by Maritime Safety Committee Resolution 
MSC.75(69);
     An inclining experiment or deadweight survey;
     Criteria in IMO Resolution A.168 (ES.IV), with an 
additional requirement that the vessel have a minimum range of 
stability of 60 degrees;
     Severe wind and rolling criteria indicated in IMO 
Resolution A.562(14); and
     Addressing specified design and operating factors that 
affect stability.
    In addition, the ABS rules require a vessel to meet specifications 
for--
     Fish hold bulkhead design;
     Local strengthening of shell and deck plating;
     Bulwarks, rails, ports, portlights, and ventilators;
     Freeboard and draft marks;
     Cargo handling equipment; and
     Miscellaneous specifications for wire rope, equipment 
operability under inclined conditions, liquid petroleum gas, electrical 
installation, and refrigeration.
    The proposed rule would add 46 CFR 28.201(b) and (c) to incorporate 
the new vessel classing requirements.
    Subpart C vessels of at least 50 feet overall in length and built 
on or before July 1, 2013 will eventually be required by CGAA section 
604(e)(1), as amended by CGMTA section 305(c), to comply with an 
alternate safety compliance program. CGAA section 604(f) requires us to 
complete the program's development by January 1, 2017.
    The proposed rule would take no action with respect to the new 
alternative safety compliance program, because we must use our 
discretionary authority to undertake the required cooperation with 
industry to develop the alternate safety compliance program. This will 
be the subject of future regulatory action.
    Termination of unsafe operations. CGAA section 608 adds new 46 
U.S.C. 2117, which expands the Coast Guard's authority to terminate a 
CFV's operation when we determine that unsafe conditions exist. Section 
2117 authorizes a boarding officer to remove any certificate that the 
boarded vessel is required to possess, if the boarding officer finds 
that the vessel is not in compliance with the terms of the certificate. 
Loss of the certificate then becomes, in itself, reason to terminate 
the vessel's voyage. This proposed rule would amend 46 CFR 28.65(a) to 
incorporate the new termination provisions and leaves section 28.65(b) 
unchanged, but it would remove section 28.65(c) because its presence is 
redundant and could be confusing, in light of the revision of section 
28.65(a).
    Miscellaneous. CGAA section 604(a)(2)(D) through (G) amend 46 
U.S.C. 4502(b)(2)(D) through (G) with respect to each subpart C vessel. 
Subpart C vessels now must have marine radio communications equipment 
sufficient to effectively communicate with land-based search and rescue 
facilities; navigation equipment, including compasses, nautical charts, 
and publications; first aid equipment and medical supplies sufficient 
for the size and area of operation of the vessel; and ground tackle 
sufficient for the vessel. This type equipment must be adequate for the 
size of the vessel and where the vessel operates. The proposed rule 
would reflect these changes in 46 CFR 28.245, 28.225, 28.210, and 
28.235 respectively. We request comments on further specifications for 
this equipment requirement.
    We also propose revising the authority line for 46 CFR part 28, to 
more fully state the sources of our

[[Page 40452]]

authority to issue the regulations appearing in that part.
    Table. Table 9 sequentially lists the regulations we would add or 
amend in this proposed rule, and summarizes how the CGAA and CGMTA 
affected the regulation.

                               Table 9--46 CFR Sections Affected by Proposed Rule
----------------------------------------------------------------------------------------------------------------
                                                                  Related statutory         Related statutory
          46 CFR section                     Heading                 section(s)                 topic(s)
----------------------------------------------------------------------------------------------------------------
28.65.............................  Termination of unsafe     CGAA 608................  Termination of unsafe
                                     operations.                                         operations.
28.110............................  Life preservers or other  CGAA 604(a)(2)(B).......  Substitution of baseline
                                     personal flotation                                  for Boundary Line
                                     devices..                                           criteria.
28.120............................  Survival craft \32\.....  CGAA 604(a)(2)(C); CGMTA  Survival craft.
                                                               303.
28.130............................  Survival craft equipment  CGAA 604(a)(2)(C); CGMTA  Survival craft.
                                                               303.
28.170............................  Load lines..............  CGAA 604(d); CGMTA 305..  Load lines.
Subpart C heading.................  Old: Requirements for     CGAA 604(a)(2)(A).......  Vessel parity.
                                     vessels that operate
                                     beyond the Boundary
                                     Lines or with more than
                                     16 individuals on
                                     board, or for fish
                                     tender vessels engaged
                                     in the Aleutian Trade.
28.200............................  Old: Applicability......  CGAA 604(a)(2)(A),        Vessel parity, Records.
                                                               604(a)(3).
28.201............................  Examination and           CGAA 604(a)(3),           Vessel examinations,
                                     certification.            604(e)(1); CGMTA 305.     Classing of vessels.
28.202............................  Construction requirement  CGAA 604(a)(4)..........  Construction standards
                                     for smaller vessels.                                for smaller vessels.
28.205............................  Fireman's outfits and     CGAA 604(a)(2)(A).......  Vessel parity.
                                     self-contained
                                     breathing apparatus.
28.210............................  First aid equipment and   CGAA 604(a)(2)(A),        Vessel parity,
                                     training.                 604(a)(2)(F).             Miscellaneous.
28.215............................  Guards for exposed        CGAA 604(a)(2)(A).......  Vessel parity.
                                     hazards.
28.225............................  Navigational information  CGAA 604(a)(2)(A),        Vessel parity,
                                                               604(a)(2)(E).             Miscellaneous.
28.230............................  Compasses...............  CGAA 604(a)(2)(A).......  Vessel parity.
28.235............................  Anchors and radar         CGAA 604(a)(2)(A),        Vessel parity,
                                     reflectors.               604(a)(2)(G).             Miscellaneous.
28.240............................  General alarm system....  CGAA 604(a)(2)(A).......  Vessel parity.
28.245............................  Communications equipment  CGAA 604(a)(2)(A),        Vessel parity,
                                                               604(a)(2)(D).             Miscellaneous.
28.250............................  High water alarms.......  CGAA 604(a)(2)(A).......  Vessel parity.
28.255............................  Bilge pumps, bilge        CGAA 604(a)(2)(A).......  Vessel parity.
                                     piping, and dewatering
                                     systems.
28.260............................  Electronic position       CGAA 604(a)(2)(A).......  Vessel parity.
                                     fixing devices.
28.265............................  Emergency instructions..  CGAA 604(a)(2)(A).......  Vessel parity.
28.270............................  Old: Instruction,         CGAA 604(a)(2)(A),        Vessel parity, Training.
                                     drills, and safety        604(a)(4); CGMTA 305.
                                     orientation.
28.500............................  Applicability [of         CGAA 604(d).............  Load lines.
                                     stability regulations].
----------------------------------------------------------------------------------------------------------------

VII. Regulatory Analyses

    We developed this proposed rule after considering numerous statutes 
and executive orders related to rulemaking. Below, we summarize our 
analyses based on these statutes or executive orders.
---------------------------------------------------------------------------

    \32\ The Coast Guard Authorization Act of 2015, Pub. L. 114-120, 
amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.
---------------------------------------------------------------------------

 A. Regulatory Planning and Review

    Executive Orders 12866 (``Regulatory Planning and Review'') and 
13563 (``Improving Regulation and Regulatory Review'') direct agencies 
to assess the costs and benefits of available regulatory alternatives 
and, if regulation is necessary, to select regulatory approaches that 
maximize net benefits (including potential economic, environmental, 
public health and safety effects, distributive impacts, and equity). 
Executive Order 13563 emphasizes the importance of quantifying both 
costs and benefits, of reducing costs, of harmonizing rules, and of 
promoting flexibility. The estimated costs of this rulemaking do not 
exceed the threshold of economic significance (i.e., the rulemaking has 
an annual effect on the economy of $100 million or more. However, the 
proposed rule has been designated a ``significant regulatory action'' 
under section 3(f) of Executive Order 12866 and therefore it has been 
reviewed by the Office of Management and Budget. A preliminary 
Regulatory Analysis (RA) is available in the docket where indicated 
under the ``Public Participation and Request for Comments'' section of 
this preamble.
    See part VI of this preamble for a discussion of the proposed rule 
and see the preliminary RA in our docket for a more detailed discussion 
of costs, benefits, and alternatives considered. Table 10 summarizes 
the impacts of this rulemaking.

    Table 10--Summary of Affected Population, Costs, and Benefits of
                         Congressional Mandates
------------------------------------------------------------------------
           Category                          Proposed rule
------------------------------------------------------------------------
Applicability................  U.S. flagged, uninspected commercial
                                fishing vessels (CFVs).
Affected population..........  36,115 CFVs.
Industry costs * ($ millions,  $34.2 million (annualized), $240.3
 7% discount rate).             million (10-year). Not quantified:
                                Potential lost revenues, Potential lost
                                wages.
Government costs * ($          $5.4 million (annualized) $38.2 million
 millions, 7% discount rate).   (10-year).
Total costs * ($ millions, 7%  $39.7 million (annualized), $278.5
 discount rate).                million (10-year).

[[Page 40453]]

 
Benefits ($ millions, 7%       $7.1-$9.4 million (annualized), $44.4-
 discount rate).                $65.5 million (10-year). Not quantified:
                                Benefits from reducing injuries,
                                property losses and environmental damage
                                from oil spills.
------------------------------------------------------------------------
* Please refer to the preliminary RA in the docket for details.

    A summary of the RA follows:
    The 2010 CGAA and the 2012 CGMTA make numerous, significant changes 
to Chapter 45 of 46 U.S.C., ``Uninspected Commercial Fishing Industry 
Vessels.'' These new requirements build on the requirements set forth 
in the Commercial Fishing Industry Vessel Safety Act of 1988. Once 
implemented through new or amended regulations, the commercial fishing 
industry should experience enhanced worker and vessel safety from the 
CGAA and CGMTA changes. The proposed rule would implement only those 
CGAA and CGMTA provisions that mandate the promulgation of regulations. 
The proposed rule would revise safety standards by adding or amending 
regulations in the categories indicated in Table 11.
    In addition, uniform safety standards are established for all 
fishing vessels for some requirements, particularly those vessels 
operating beyond 3 nautical miles of the baseline of the territorial 
sea or coastline of the Great Lakes. The Boundary Line is used as the 
demarcation line for operating area and equipment standards, but it is 
not uniform around the U.S. coastline. The CGAA amended sections 
4502(b)(1)(A) of 46 U.S.C. by deleting the words ``Boundary Line'' and 
replacing them with ``3 nautical miles from the baseline from which the 
territorial sea of the United States is measured or 3 nautical miles 
from the coastline of the Great Lakes.''

                           Table 11--Proposed Rule Requirement With Cost Impacts \33\
----------------------------------------------------------------------------------------------------------------
            Rule requirement                       Category                     Description of changes
----------------------------------------------------------------------------------------------------------------
(1)....................................  Survival Craft \34\........  Establishes requirements for all fishing
                                                                       industry vessels operating beyond 3
                                                                       nautical miles to carry survival craft
                                                                       that will meet a new performance standard
                                                                       for primary lifesaving equipment. The use
                                                                       of ``lifeboats or liferafts'' is replaced
                                                                       with ``a survival craft that ensures that
                                                                       no part of an individual is immersed in
                                                                       water.'' This means that lifefloats and
                                                                       buoyant apparatus will no longer be
                                                                       accepted as survival craft on any
                                                                       commercial fishing vessel operating
                                                                       beyond 3 nautical miles. As the CGMTA
                                                                       permitted us to do, we refrained from
                                                                       enforcing this provision between the
                                                                       CGMTA's enactment and February 2016.
(2)....................................  Records....................  Requires the individual in charge of a
                                                                       vessel operating beyond 3 nautical miles
                                                                       to maintain a record of lifesaving and
                                                                       fire equipment maintenance. It will be
                                                                       incumbent upon the master/individual in
                                                                       charge of the vessel to maintain these
                                                                       records onboard.
(3)....................................  Examinations and             Requires a dockside safety examination at
                                          Certificates of              least once every 5 years for vessels
                                          Compliance. \35\             operating beyond 3 nautical miles with
                                                                       the first exam statutorily required by
                                                                       October 15, 2015. A ``certificate of
                                                                       compliance'' will be issued to a vessel
                                                                       successfully completing the exam.
                                                                       Voluntary exams will continue to be
                                                                       promoted for vessel operating inside 3
                                                                       nautical miles.
(4)....................................  Classing of Vessels, Third   Requires the survey and classification of
                                          Party. \36\                  a fishing vessel that is at least 50 feet
                                                                       overall in length, built after July 1,
                                                                       2013, and operates beyond 3 nautical
                                                                       miles.
----------------------------------------------------------------------------------------------------------------

Affected Population
    Based on Marine Information for Safety and Law Enforcement (MISLE) 
data, there are approximately 75,083 U.S. commercial fishing vessels in 
the United States. This proposed rule would take regulatory action on 
vessels operating beyond three nautical miles of the baseline of the 
territorial sea and the coastline of the Great Lakes. Coast Guard 
subject matter experts estimate that 36,115 (17,237 documented and 
18,878 undocumented) operate beyond the three nautical miles threshold, 
and are affected by this rulemaking \37\. Each rule requirement applies 
to a distinct set of vessels based on area of operation and vessel 
size. (Table 12).
---------------------------------------------------------------------------

    \33\ Please refer to the Regulatory Analysis Section 1.7 
Regulatory Impacts for discussion on no cost requirements.
    \34\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.
    \35\ The proposed rule enhances the enforcement of dockside 
examinations by allowing the termination of vessels that do not 
obtain the required certification. The costs to acquire and maintain 
certification is captured under Examinations and Certification of 
Compliance. There is a potential, non-quantifiable cost if a voyage 
is terminated due to unsafe operations.
    \36\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Public Law 114-120, changed the applicability of classing 
requirements for CFVs. The 2010 and 2012 legislation extended the 
classing requirement to CFVs of 50 feet or more overall in length 
and built before July 1, 2013. The 2015 Act exempts from that 
requirement CFVs of at least 50 and not more than 79 feet overall in 
length, and built after Feb. 8, 2016, provided their construction is 
overseen by a State-licensed naval architect or marine engineer, and 
their design ``incorporates standards equivalent to those prescribed 
by a classification society. . . or another qualified organization. 
. . .'' This NPRM does not incorporate any of the 2015 provisions, 
which must be reflected in our regulations through future regulatory 
action.
    \37\ The remaining 38,968 vessels are not affected by this rule.

[[Page 40454]]



   Table 12--Summary of Affected Population by Regulatory Requirement
------------------------------------------------------------------------
                                                             Estimated
    CGAA/CGMTA requirements        Affected population        number
------------------------------------------------------------------------
(1) Requirement that survival    All vessels that                 24,771
 craft ensure that no part of     operate beyond 3 NM
 individual is immersed in        that currently do not
 water. \38\                      carry survival craft
                                  that ensure that no
                                  part of individual is
                                  immersed in water.
(2) Requirement to keep records  All vessels that                 36,115
 of equipment maintenance and     operate beyond 3 NM.
 drills/instructions in safety
 logbook.
(3) Requirement for vessels to   All vessels that                 36,115
 have dockside exam every 5       operate beyond 3 NM.
 years and carry certificate.
(4) Vessel 50 feet in length or  New vessels >=50 ft in              260
 greater built after 2013 must    length (26 annually)
 be classed by third party        that operate beyond 3
 organization. \39\               NM.
------------------------------------------------------------------------

Costs
    One-hundred percent of the costs of this rule are Congressionally 
mandated. We estimated the total average costs of this rulemaking on 
industry for a 10-year period as summarized in Table 13. \40\
---------------------------------------------------------------------------

    \38\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.
    \39\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Public Law 114-120, changed the applicability of classing 
requirements for CFVs. The 2010 and 2012 legislation extended the 
classing requirement to CFVs of 50 feet or more overall in length 
and built after July 1, 2013. The 2015 Act exempts from that 
requirement CFVs of at least 50 and not more than 79 feet overall in 
length, and built after Feb. 8, 2016, provided their construction is 
overseen by a State-licensed naval architect or marine engineer, and 
their design ``incorporates standards equivalent to those prescribed 
by a classification society . . . or another qualified organization. 
. . .'' This NPRM does not incorporate any of the 2015 provisions, 
which must be reflected in our regulations through future regulatory 
action.
    \40\ We discounted the costs at 7 and 3 percent as set forth by 
guidance in the Office of Management and Budget's Circular A-4.
---------------------------------------------------------------------------



                                     Table 13--Proposed Rule Industry Costs
                                             [Values in $ millions]
----------------------------------------------------------------------------------------------------------------
                                                                                         Discounted costs
                              Year                                 Undiscounted  -------------------------------
                                                                       costs            7%              3%
----------------------------------------------------------------------------------------------------------------
Year 1..........................................................          $67.97          $63.52          $65.99
Year 2..........................................................           27.28           23.83           25.72
Year 3..........................................................           27.37           22.34           25.05
Year 4..........................................................           27.46           20.95           24.40
Year 5..........................................................           27.46           19.58           23.69
Year 6..........................................................           41.48           27.64           34.74
Year 7..........................................................           27.55           17.16           22.40
Year 8..........................................................           27.64           16.09           21.82
Year 9..........................................................           27.72           15.08           21.25
Year 10.........................................................           27.72           14.09           20.63
                                                                 -----------------------------------------------
    Total.......................................................          329.66          240.28          285.67
Annualized......................................................  ..............           34.21           33.49
----------------------------------------------------------------------------------------------------------------

    The first-year (initial) undiscounted cost of this rulemaking is 
$68 million. The 10-year discounted present value cost to industry of 
the proposed rule is $240.3 million based on a 7-percent discount rate 
and $285.7 million based on a 3-percent discount rate assuming 
immediate implementation. The annualized cost to industry is $34.2 
million at a 7-percent discount rate. Table 14 presents the costs to 
industry by requirement, of which ``classing of vessels by third 
party'' makes up the majority of the total costs.
---------------------------------------------------------------------------

    \41\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.

                    Table 14--Annualized Proposed Rule Industry Costs by Requirement Category
                                             [Values in $ millions]
----------------------------------------------------------------------------------------------------------------
                                                   10-Year cost                             Annualized
    Proposed rule requirement    -------------------------------------------------------------------------------
                                   Undiscounted         7%              3%              7%              3%
----------------------------------------------------------------------------------------------------------------
(1) Survival Craft \41\.........          $82.49          $64.15          $73.52           $9.13           $8.62
(2) Records.....................            6.52            4.58            5.56            0.65            0.65
(3) Examination and Certificates           27.87           22.31           25.20            3.18            2.95
 of Compliance..................
(4) Classing of Vessel, Third             212.77          149.24          181.39           21.25           21.26
 Party..........................
                                 -------------------------------------------------------------------------------
    Total for Authorization Act           329.66          240.28          285.67           34.21           33.49
     Requirements...............
----------------------------------------------------------------------------------------------------------------


[[Page 40455]]

    We anticipate that the government will incur labor and travel costs 
to conduct dockside CFV safety exams. We estimate the total present 
value cost to government over the 10-year period of analysis to be 
$38.2 million discounted at 7 percent and $46.4 million discounted at 3 
percent (Table 15). Annualized government costs are about $5.4 million 
under both 7-percent and 3-percent discount rates.

                                 Table 15--Proposed Rule--Total Government Costs
                                             [Values in $ millions]
----------------------------------------------------------------------------------------------------------------
                                                                                         Discounted costs
                              Year                                 Undiscounted  -------------------------------
                                                                       costs            7%              3%
----------------------------------------------------------------------------------------------------------------
Year 1..........................................................           $5.44           $5.09           $5.28
Year 2..........................................................            5.44            4.75            5.13
Year 3..........................................................            5.44            4.44            4.98
Year 4..........................................................            5.44            4.15            4.83
Year 5..........................................................            5.44            3.88            4.69
Year 6..........................................................            5.44            3.63            4.56
Year 7..........................................................            5.44            3.39            4.42
Year 8..........................................................            5.44            3.17            4.30
Year 9..........................................................            5.44            2.96            4.17
Year 10.........................................................            5.44            2.77            4.05
                                                                 -----------------------------------------------
    Total.......................................................           54.41           38.22           46.42
Annualized......................................................  ..............            5.44            5.44
----------------------------------------------------------------------------------------------------------------

    We estimate the combined total 10-year present value cost of the 
rulemaking to industry and government at $278.5 million, discounted at 
7 percent, and $332.1 million, discounted at 3 percent (Table 16). The 
combined annualized costs to industry and government are $39.7 million 
at 7 percent and $38.9 million at 3 percent. The expected annual effect 
on the economy of the proposed rule would not exceed $100 million in 
the first or any subsequent year of implementation.
---------------------------------------------------------------------------

    \42\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.
    \43\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Public Law 114-120, changed the applicability of classing 
requirements for CFVs. The 2010 and 2012 legislation extended the 
classing requirement to CFVs of 50 feet or more overall in length 
and built after July 1, 2013. The 2015 Act exempts from that 
requirement CFVs of at least 50 and not more than 79 feet overall in 
length, and built after Feb. 8, 2016, provided their construction is 
overseen by a State-licensed naval architect or marine engineer, and 
their design ``incorporates standards equivalent to those prescribed 
by a classification society . . . or another qualified organization 
. . . .'' This NPRM does not incorporate any of the 2015 provisions, 
which must be reflected in our regulations through future regulatory 
action.

                               Table 16--Summary of Cost by Regulatory Requirement
                                             [Values in $ millions]
----------------------------------------------------------------------------------------------------------------
                                                   10-Year cost                             Annualized
    Proposed rule requirement    -------------------------------------------------------------------------------
                                   Undiscounted         7%              3%              7%              3%
----------------------------------------------------------------------------------------------------------------
(1) Survival Craft \42\.........          $82.49          $64.15          $73.52           $9.13           $8.62
(2) Records.....................            6.52            4.58            5.56            0.65            0.65
(3) Examination and Certificates           27.87           22.31           25.20            3.18            2.95
 of Compliance..................
(4) Classing of Vessel, Third             212.77          149.24          181.39           21.25           21.26
 Party \43\.....................
Government Costs:
    Examinations and                       54.41           38.22           46.42            5.44            5.44
     Certificates of Compliance.
                                 -------------------------------------------------------------------------------
Total for Authorization Act               384.07          278.50          332.09           39.65           38.93
 Requirements...................
----------------------------------------------------------------------------------------------------------------

Benefits
    In this rulemaking, the Coast Guard is proposing to implement CFV 
safety standards mandated by Congress in the 2010 CGAA and 2012 CGMTA. 
These mandates are collectively intended to reduce the risk of future 
casualties, and if a casualty occurs, to minimize the adverse impacts 
to crew and increase the likelihood of survival and rescue. To reduce 
the risk of casualties and to mitigate the adverse consequences, the 
Coast Guard adopts comprehensive safety requirements that are intended 
to increase compliance with current regulations and increase the 
operational awareness and preparedness of CFV owners and masters. The 
primary benefits resulting from increased safety include reductions in 
the risk of fatalities, property loss, and environmental damage that 
can be caused by lost and damaged CFVs. Table 17 presents the benefits 
resulting from improved CFV safety.

[[Page 40456]]



                        Table 17--Proposed Rule Benefits of Safety Standards by Category
----------------------------------------------------------------------------------------------------------------
         Rule requirement                              Category                               Benefit(s)
----------------------------------------------------------------------------------------------------------------
(1)..............................  Survival Craft \44\.............................  Ensures personnel who
                                                                                      evacuate in the event of
                                                                                      the loss of a vessel are
                                                                                      removed from the water,
                                                                                      thereby reducing the risk
                                                                                      of hypothermia.
(2)..............................  Records.........................................  Requires the individual in
                                                                                      charge of a vessel
                                                                                      operating beyond 3
                                                                                      nautical miles of the base
                                                                                      line to maintain onboard a
                                                                                      record of equipment
                                                                                      maintenance and required
                                                                                      instruction and drills.
                                                                                      Maintaining records
                                                                                      increases accountability
                                                                                      and provides a means of
                                                                                      determining compliance for
                                                                                      many provisions,
                                                                                      particularly during Coast
                                                                                      Guard vessel boardings and
                                                                                      investigations.
                                                                                      Maintaining records also
                                                                                      assists the vessel
                                                                                      operator by reminding him
                                                                                      or her that actions are
                                                                                      needed to remain in
                                                                                      compliance with the rules.
(3)..............................  Examinations and Certificates of Compliance.....  Makes current voluntary
                                                                                      system of examinations
                                                                                      mandatory, thereby
                                                                                      ensuring vessel is
                                                                                      maintained properly and
                                                                                      able to operate in a safe
                                                                                      and environmentally sound
                                                                                      manner.
(4)..............................  Classing of Vessels, Third Party \45\...........  Requires survey and
                                                                                      classification of a
                                                                                      fishing vessel that is at
                                                                                      least 50 feet overall in
                                                                                      length, built after July
                                                                                      1, 2013, and operating
                                                                                      beyond 3 nautical miles of
                                                                                      the base line. Vessel
                                                                                      classification helps to
                                                                                      ensure that a vessel is
                                                                                      designed and maintained in
                                                                                      a safe manner, reducing
                                                                                      the likelihood of all
                                                                                      types of mishaps. The
                                                                                      classification process
                                                                                      includes: The development
                                                                                      of standards; technical
                                                                                      plan review and design
                                                                                      analysis; surveys during
                                                                                      construction; source
                                                                                      inspection of materials,
                                                                                      equipment and machinery;
                                                                                      subsequent periodic
                                                                                      surveys for maintenance of
                                                                                      class; survey of damage,
                                                                                      repairs and modifications.
----------------------------------------------------------------------------------------------------------------


               Table 18--Additional Proposed Rule Benefits
------------------------------------------------------------------------
       Authorization Act requirement                  Benefits
------------------------------------------------------------------------
Dockside examination and vessel             Clarifies current industry
 certification: A vessel that that was       practice and harmonizes
 classed before July 1, 2012, must remain    regulatory and statutory
 subject to the requirements of a            language.
 classification society.
Requires that vessels built after January   Clarifies current industry
 1, 2010, and less than 50 feet overall in   practice and harmonizes
 length be constructed in a manner that      regulatory and statutory
 provides a level of safety equivalent to    language.
 the standards for recreational vessels
 established under Title 46 U.S.C. 4302.
First aid equipment and training:           Clarifies current industry
 Substitutes the words ``medical supplies    practice and harmonizes
 sufficient for the size and area of         regulatory and statutory
 operation of the vessel, which on           language.
 documented vessels must be in a readily
 accessible location'' for ``medicine
 chest of a size suitable for the number
 of individuals on board in a readily
 accessible location''.
First aid equipment and training: Limits    Clarifies current
 applicability to documented vessels. No     applicability and
 change from current requirements.           harmonizes regulatory and
                                             statutory language.
Changes to applicability language for:      Limits applicability to
 Navigational equipment; Anchors and radar   documented vessels.
 reflectors; General alarm system; High      Clarifies current
 water alarms; Electronic position fixing    applicability and
 devices; Emergency Instructions;            harmonizes regulatory and
 Instructions, drills, and safety            statutory language.
 orientation.
------------------------------------------------------------------------

    In this regulatory assessment, the benefits associated with (1) 
survival craft and (3) examinations are further evaluated, with 
monetized estimates developed. Other components are left non-monetized 
given limitations on casualty data (e.g., limited specificity in 
casualty investigations).
---------------------------------------------------------------------------

    \44\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.
    \45\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Public Law 114-120, changed the applicability of classing 
requirements for CFVs. The 2010 and 2012 legislation extended the 
classing requirement to CFVs of 50 feet or more overall in length 
and built before July 1, 2013. The 2015 Act exempts from that 
requirement CFVs of at least 50 and not more than 79 feet overall in 
length, and built after Feb. 8, 2016, provided their construction is 
overseen by a State-licensed naval architect or marine engineer, and 
their design ``incorporates standards equivalent to those prescribed 
by a classification society . . or another qualified organization. . 
. .'' This NPRM does not incorporate any of the 2015 provisions, 
which must be reflected in our regulations through future regulatory 
action.
---------------------------------------------------------------------------

    For the period of 2002-2012, a total of 426 fishermen lost their 
lives on commercial fishing vessels (Exhibit A). Of those, a total of 
205 lives were lost due to vessel loss and 221 lives were lost due to 
other causes. On an annual basis, an average of 39 fishermen lost their 
lives per year, with an average of 19 of these fatalities associated 
with vessel loss. As there is no discernible, consistent trend of 
fatalities over the time period, we use the average fatalities over the 
period to represent the projected fatalities without the proposed rule 
in the future 10-year period covered in this analysis.
    During the 2002-2012 period, 851 vessels were lost (Exhibit B), 
resulting in an estimated property damage of $17.3 million and 13,270 
gallons of pollutant spilled. Table 18 summarizes the negative impacts 
of commercial fishing vessel casualties with fatalities monetized at 
$9.1 million per fatality and Exhibit C displays average annual 
monetary damages, of which fatalities make up the overwhelming majority 
of damages associated with the commercial fishing industry.
    To monetize the value of fatalities and those prevented, we use the 
concept of ``value of statistical life'' (VSL), which is commonly used 
in safety analyses. The VSL does not represent the dollar value of a 
person's life, but the amount society would be willing to pay to reduce 
the probability of premature death. We currently use a value of $9.1 
million as an estimate of VSL.\46\ A $9.1 million VSL does not mean a 
specific human life is worth $9.1 million, but instead, a $9.1 million 
VSL means an individual

[[Page 40457]]

is willing to pay $9.10 to reduce the annual risk of premature death by 
one in 1,000,000.
---------------------------------------------------------------------------

    \46\ See guidance on the Treatment of the Economic Value of a 
Statistical Life in U.S. Department of Transportation Analyses, U.S. 
DOT, 2013, available at http://www.dot.gov/sites/dot.dev/files/docs/VSL%20Guidance%202013.pdf.
[GRAPHIC] [TIFF OMITTED] TP21JN16.000



[[Page 40458]]

[GRAPHIC] [TIFF OMITTED] TP21JN16.001


                                  Table 19--Negative Impacts From CFV Incidents
                                                   [2002-2012]
----------------------------------------------------------------------------------------------------------------
                                                                                                      Average
                                                                  Total monetary                     monetary
            Impact                  Monetary       Total effects    damages (in     Average per     damage per
                                   evaluation                        millions)         year          year (in
                                                                                                     millions)
----------------------------------------------------------------------------------------------------------------
Fatalities from all vessel      $9.1 million per             426        $3,876.6              39          $354.9
 incidents.                      fatality.
    Fatalities, from non-                                    221         2,011.1              20             182
     vessel loss.
    Fatalities, resulting from                               205         1,865.5              19           172.9
     vessel loss.
Lost Vessels (Property Damage)  Varies..........             851            17.3              77             1.6
Gallons of Oil Spilled........  254 per gallon..          13,270             3.4           1,210             0.3
----------------------------------------------------------------------------------------------------------------
Notes:
(1) Fatality values are based on a $9.1 million value of a statistical life referenced in Guidance on Treatment
  of the Economic Value of a Statistical Life in U.S. Department of Transportation Analyses, U.S. DOT, 2013,
  available at http://www.dot.gov/sites/dot.dev/files/docs/VSL%20Guidance%202013.pdf.
(2) Vessel lost include property and cargo damages as reported in MISLE.
(3) Oil spilled damages are based on a $254 damage per gallon of oil spilled as indicated by Inspection of
  Towing Vessels, Notice of Proposed Rulemaking, Preliminary Regulatory Analysis and Initial Regulatory
  Flexibility Analysis, USCG-2006-24412, July 2011, available at http://www.regulations.gov/#!documentDetail;D=USCG-2006-24412-0002.


[[Page 40459]]

[GRAPHIC] [TIFF OMITTED] TP21JN16.002

    As noted above, we develop monetized benefits for two of the 
requirements (Survival Craft and Dockside Examinations). In addition to 
the aforementioned, the following categories of benefits have not been 
captured due to analysis limitations and scope: \47\
---------------------------------------------------------------------------

    \47\ The benefit analysis is achieved on a per vessel basis. 
That is, the benefits estimated reflect the historical casualty 
incidents that might have been prevented if the proposed rule were 
in place. In order to estimate the reduction in property and 
environmental damage, we would need an algorithm that detailed when 
the requirements of the proposed rule would reduce the likelihood of 
vessel loss, requiring a significant amount of analytical effort. 
Given that property and environmental damages makes up a small 
fraction (0.58%) of the total annual damages (Exhibit ES-3), the CG 
sought to focus on the benefits associated with fatalities.
---------------------------------------------------------------------------

    Property and environmental damage. The examination requirements 
have the potential to prevent the loss of vessels. For example, the 
dockside examination may identify deficiencies, like a non-functioning 
high water alarm, that, if activated, could allow the crew to respond 
in a timely manner to avoid vessel loss. Based on MISLE \48\ data, the 
baseline value of property damage due to vessel loss is estimated at 
$1.6 million per year and the value of oil spill damages is $0.3 
million per year. To the extent a vessel loss is prevented, property 
damage and oil spills may also be reduced. Also, search and rescue 
costs and other response costs (such as emergency transportation to 
hospitals) could be reduced if a vessel loss is prevented.
---------------------------------------------------------------------------

    \48\ The Marine Information for Safety and Law Enforcement 
(MISLE) is a database system managed and used by the U.S. Coast 
Guard. MISLE is used to store data on marine accidents, pollution 
incidents, search and rescue cases, law enforcement activities, and 
vessel inspections/examinations. The public may access portions of 
the data contained on the MISLE system through the Coast Guard 
Maritime Information Exchange at: https://cgmix.uscg.mil/.
---------------------------------------------------------------------------

    Injuries. Survival craft and dockside examination provisions could 
also reduce injuries. According to the National Institute for 
Occupational Safety and Health, in Alaska during the period of 1991-
2002, 798 fishermen were hospitalized for treatment of severe injuries 
received during fishing activities, an average of 66.5 injuries per 
year in Alaska alone. These severe injuries can lead to lifetime 
consequences and include injuries that result in amputation and 
paralysis. During a vessel loss event, it is not uncommon for survivors 
to suffer from exposure and hypothermia due to immersion in water or 
trauma injuries suffered during the sinking. The dockside examinations 
could prevent vessel losses while the survival craft could reduce the 
risk of exposure and hypothermia injuries after the vessel is lost.
    The quantitative analysis of benefits entailed: A review of 
historical commercial fishing vessel casualties to determine if they 
were within the affected population as set by the proposed rule, an 
assessment of the applicability of each proposed rule feature as it 
relates to the risk reduction when compared to historical casualties, 
and an estimation of the effectiveness of each proposed rule feature as 
decided by subject matter experts.
    The primary and high estimate of benefits for each category is 
summarized in Table 19. The estimate of monetized annualized benefits 
is $7.1 million at a 7 percent discount rate. The high estimate of 
benefits is $9.4 million at 7 percent discount rate.
    The high estimates are based on an extrapolation from casualty 
reports that contain detailed information on the cause of the casualty 
to casualties that contain limited information on the cause of the 
casualty. With commercial fishing vessels casualties, it is not unusual 
for a vessel to be lost at sea with no survivors. In these cases, the 
casualty report may contain limited information as to the causal 
factors for the loss to be able to make a confident determination of 
the potential for risk reduction. Based on our review of the casualty 
reports, we found approximately 20 percent of the cases contained too 
limited information to attempt an estimation of potential benefits for 
use in the primary estimate. To the extent these limited information 
casualties are similar to those that contain more detailed information, 
we are likely to underestimate benefits. We have included these limited 
information casualties only in a high estimate and not in our primary 
benefits estimate to show the a possible range of quantified benefits.

[[Page 40460]]



                Table 20--Summary of Annualized Benefits
                         [7 Percent, $ millions]
------------------------------------------------------------------------
                                           Estimation of benefits
                                   -------------------------------------
             Category                                  Primary + limited
                                     Primary baseline      information
                                        incidents          incidents
------------------------------------------------------------------------
Survival Craft \49\...............               $4.8                6.3
Examinations and Certificates of                  2.3                3.1
 Compliance.......................
                                   -------------------------------------
    Total.........................                7.1                9.4
------------------------------------------------------------------------

Comparison of Costs and Benefits
    The annualized costs to government and industry for the proposed 
rule over the 10-year period are estimated at $39.7 million at a 7 
percent discount rate. The estimate of annualized quantified benefits 
ranges between $7.1 and $9.4 million, with a primary estimate of 
monetized annualized benefits of $7.1 million at a 7 percent discount 
rate. We did not estimate monetized benefits for several requirements, 
including recordkeeping for equipment maintenance and classing certain 
newly built vessels. As stated previously, one-hundred percent of the 
costs of this rule are Congressionally mandated. The Coast Guard does 
not have the authority to alter the provisions of this rule to lessen 
the economic impacts of this rule on the fishing industry.
---------------------------------------------------------------------------

    \49\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.

                                 Table 21--Proposed Rule, Summary of Quantified Annualized Costs and Annualized Benefits
                                                            [7 Percent, Values in $ millions]
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Primary                          High
                                              Annualized   ----------------------------------------------------------------
                 Category                      costs to          Total                           Total                          Benefits not captured
                                             industry and     annualized    Net annualized    annualized    Net annualized
                                              government       benefits        benefits        benefits        benefits
--------------------------------------------------------------------------------------------------------------------------------------------------------
(1) Survival Craft \50\...................            $9.1            $4.8          ($4.3)            $6.3          ($2.8)  Injuries (such as non-fatal
                                                                                                                             hypothermia).
(3) Examination and Certificates of                    8.6             2.3           (6.3)             3.1           (5.5)  Reduced property and
 Compliance.                                                                                                                 environmental damages, and
                                                                                                                             injuries.
                                           -------------------------------------------------------------------------------------------------------------
    Total.................................           17.70             7.1          (10.6)             9.4           (8.3)
--------------------------------------------------------------------------------------------------------------------------------------------------------


 Table 22--Proposed Rule, Summary of Provisions--Benefits Not Quantified
                    [7 Percent, Values in $ millions]
------------------------------------------------------------------------
                                   Annualized costs
            Category                to industry and   Beneficial impacts
                                      government
------------------------------------------------------------------------
(2) Records.....................               $0.65  Enhances ability
                                                       to determine and
                                                       track compliance.
(4) Classing of Vessel, Third                   21.2  Ensures vessel has
 Party \51\.                                           safe design and
                                                       is maintained as
                                                       designed.
                                 ---------------------------------------
    Total.......................                   21.85
------------------------------------------------------------------------

Breakeven Analysis
    We also examined the risk reduction from the total casualty 
baseline required for the benefits of the proposed rule to exceed the 
costs (Table 23). Overall, the proposed rule would need to prevent 4.4 
fatalities per year for the benefits to equal the costs, a reduction of 
23 percent from the baseline of 19 annual casualties resulting from the 
loss of fishing vessels.
---------------------------------------------------------------------------

    \50\ The Coast Guard Authorization Act of 2015, Public Law 114-
120, amended 46 U.S.C. 3104 by removing language mandating that we 
require survival craft on all CFVs to protect occupants against 
immersion in water. The survival craft provisions of 46 U.S.C. 4502 
were unaffected and therefore those provisions continue to apply to 
subpart C survival craft. The 2015 legislation will be addressed in 
a future rulemaking.
    \51\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Public Law 114-120, changed the applicability of classing 
requirements for CFVs. The 2010 and 2012 legislation extended the 
classing requirement to CFVs of 50 feet or more overall in length 
and built before July 1, 2013. The 2015 Act exempts from that 
requirement CFVs of at least 50 and not more than 79 feet overall in 
length, and built after Feb. 8, 2016, provided their construction is 
overseen by a State-licensed naval architect or marine engineer, and 
their design ``incorporates standards equivalent to those prescribed 
by a classification society . . . or another qualified organization 
. . . .'' This NPRM does not incorporate any of the 2015 provisions, 
which must be reflected in our regulations through future regulatory 
action.

[[Page 40461]]



                      Table 23--Proposed Rule, Breakeven Analysis (7 Percent, $ Millions).
----------------------------------------------------------------------------------------------------------------
                                                                                                      Percent
                                                                    Annualized                     reduction in
                                                                     costs to       Fatalities     total fishing
                    Proposed rule requirement                      industry and    prevented to     vessel loss
                                                                    government       breakeven    casualties  to
                                                                                                     breakeven
----------------------------------------------------------------------------------------------------------------
(1) Survival Craft..............................................           $9.10             1.0             5.3
(2) Records.....................................................             .70             0.1             0.4
(3) Examination and Certificates of Compliance..................             8.6             0.9               5
(4) Classing of Vessel, Third Party \52\........................           21.30             2.3            12.3
                                                                 -----------------------------------------------
    Total for Authorization Act Requirements....................            39.7             4.4              23
----------------------------------------------------------------------------------------------------------------

Alternatives
    Consistent with Executive Order 12866, an agency shall identify and 
assess available alternatives to direct regulation. The agency should 
consider a range of potentially effective and reasonably feasible 
regulatory alternatives. We analyzed and assessed the effectiveness of 
the following alternatives:
---------------------------------------------------------------------------

    \52\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Public Law 114-120, changed the applicability of classing 
requirements for CFVs. The 2010 and 2012 legislation extended the 
classing requirement to CFVs of 50 feet or more overall in length 
and built before July 1, 2013. The 2015 Act exempts from that 
requirement CFVs of at least 50 and not more than 79 feet overall in 
length, and built after Feb. 8, 2016, provided their construction is 
overseen by a State-licensed naval architect or marine engineer, and 
their design ``incorporates standards equivalent to those prescribed 
by a classification society . . . or another qualified organization 
. . .'' This NPRM does not incorporate any of the 2015 provisions, 
which must be reflected in our regulations through future regulatory 
action.
---------------------------------------------------------------------------

     Alternative 1: No Action;
     Alternative 2: Implementation through Guidance;
     Alternative 3: Regulation to Align Non-Discretionary 
Requirements with Statute;
     Alternative 4: Discretionary Stringency in Dockside 
Examination Frequency; and
     Alternative 5: Discretionary Implementation of Person-in-
Charge Training.
    We conducted a screening of alternatives based on an assessment of 
the negative and positive impacts. Table 24 presents the results, which 
indicate that Alternative 3 is the preferred alternative. In this 
proposed rule, the Coast Guard is implementing Alternative 3. 
Alternative 3 harmonizes Coast Guard regulations with statutes to 
eliminate uncertainty and enhance clarity. Under Alternatives 1 and 2, 
Coast Guard regulations and applicable statutes would continue to be 
inconsistent, leading to confusion and uncertainty, particularly 
regarding enforcement authority. Alternatives 4 and 5 have the 
potential to increase safety and costs, but both require the exercise 
of discretionary authority and should be subject to notice and public 
comment before implementing.

                                       Table 24--Screening of Alternatives
----------------------------------------------------------------------------------------------------------------
        Alternatives               Description              Negative impacts              Relative impacts
----------------------------------------------------------------------------------------------------------------
1..........................  No Action..............  CG regulations would be       Safety improvements would be
                                                       inconsistent with Federal     diminished due to confusion
                                                       mandate, generating           and uncertainty about
                                                       uncertainty about             compliance and enforcement.
                                                       compliance and enforcement.
                                                      Costs to industry would be
                                                       incurred to comply with
                                                       Statute.
2..........................  Implementation through   CG regulations would be       Guidance could reduce some
                              Guidance.                inconsistent with Federal     confusion, but uncertainty
                                                       mandate, generating           about compliance and
                                                       uncertainty about             enforcement would remain.
                                                       compliance and enforcement.
                                                      Costs to industry would be
                                                       incurred to comply with
                                                       Statute.
3..........................  Regulation to Align Non- Costs to industry would be    Increased safety due to
                              Discretionary            incurred to comply with       survival craft, dockside
                              Requirements with        regulations.                  examinations, and the
                              Statute.                                               classing of new vessels.
                                                                                    Harmonizes CG regulations
                                                                                     with Statute to eliminate
                                                                                     uncertainty about
                                                                                     compliance and enforcement.
4..........................  Discretionary            Added costs due to more       Increased safety resulting
                              Stringency in Dockside   frequent examinations.        from the more timely
                              Examination Frequency.  Requires exercise of           identification of condition
                                                       discretionary authority.      and compliance
                                                                                     deficiencies.
                                                                                    Decrease in the incidence of
                                                                                     deficiencies.
5..........................  Discretionary            Added costs due to person in  Increased safety resulting
                              Implementation of        charge training.              from training on
                              Person-in-Charge        Requires exercise of           seamanship, stability,
                              Training.                discretionary authority.      collision prevention,
                                                                                     navigation, fire fighting
                                                                                     and prevention, damage
                                                                                     control and emergency
                                                                                     communication, personal
                                                                                     survival, emergency medical
                                                                                     care, emergency drills, and
                                                                                     weather.
----------------------------------------------------------------------------------------------------------------


[[Page 40462]]

B. Small Entities

    The Regulatory Flexibility Act of 1980 (RFA), 5 U.S.C. 601-612, as 
amended by the Small Business Regulatory Enforcement Fairness Act of 
1996 (Pub. L. 104-121), requires Federal agencies to consider the 
potential impact of regulations on small businesses, small governmental 
jurisdictions, and small organizations during the development of their 
rules.
    The Coast Guard prepared an analysis on the potential economic 
impacts of this proposed rule on small entities. A combined Regulatory 
Analysis and Initial Regulatory Flexibility Analysis discussing the 
impact the proposed rule would have on small entities is available in 
the docket where indicated under the ``Public Participation and Request 
for Comments'' section of this preamble.
    Based on the current data provided by the Coast Guard's MISLE 
database, we estimate that there are potentially 16,730 owners of 
17,237 documented commercial fishing vessels. As we do not have data 
that distinguishes those vessels that operate beyond and within 3 
nautical miles of the baseline, we use documented fishing vessels as a 
proxy for the 36,115 vessels that operate beyond 3 nautical miles for 
the purposes of determining the ownership characteristics and revenues 
of small entities under the proposed rule. Operations and fisheries for 
undocumented vessels operating beyond 3 nautical miles are similar to 
small documented vessels that operate beyond 3 nautical miles. Although 
by definition undocumented vessels are smaller than documented vessels, 
for operational purposes a 4.9 net ton vessel is very similar in 
equipment, manning, operations and fisheries to a 5 net ton vessel, but 
one is classified as undocumented (<=4.9 net tons) and the other is 
documented (>=5 net tons). Given that the operational area, defined by 
operating beyond 3 nautical miles of the baseline, indicates similar 
operations and fisheries, and because smaller vessel size is inversely 
related to operating beyond three nautical miles, using documented 
vessels to represent impacts to small entities is a reasonable proxy 
and is the best data available. As such, undocumented vessels that 
operate beyond three nautical miles are assumed to be represented 
within the revenue distribution of documented vessels and other vessel 
characteristics (age, structural integrity, etc.).
    In our review of the MISLE ownership data for documented fishing 
vessels, we found 1,612 vessel owners of 1,615 vessels that had a non-
business organization type. Of these, 1,562 vessels are owned by an 
organization that had an ``unknown'' organization type, 4 are owned by 
the Federal government, 45 are owned by trusts, and 4 are owned by non-
profits.
    Of the remaining documented commercial fishing vessels, almost all 
(over 99 percent) are owned by small businesses, as determined by SBA 
small business size standards.\53\ Many of the small businesses are 
classified as NAICS 141111 (Finfish) and 141112 (Shellfish), although 
many have a non-fishing primary NAICS classification. Of this target 
population, we examined publicly available revenue information on 360 
vessel owners that owned 762 vessels. We assume that the remaining 
3,273 owners of 3,375 vessels (for which revenue information was 
unavailable) are small businesses for the purpose of this analysis. Of 
those 360 owners for which revenue and employment information was 
available, we found 17 entities owning 204 vessels that exceeded the 
small business thresholds for their relevant NAICS code. The remaining 
343 entities owning the remaining 558 vessels are small businesses as 
defined by the NAICS thresholds.
---------------------------------------------------------------------------

    \53\ SBA small business standards are based on either company 
revenue or number of employees. Many companies in our sample have 
employee numbers determining them small, but we were unable to find 
annual revenue data to pair with the employee data.
---------------------------------------------------------------------------

    Table 25 summarizes the proposed rule cost on a per vessel basis. 
If a vessel incurs all of the cost items, the maximum total initial and 
recurring costs are $812,358 and $11,118 respectively. We estimate that 
the 260 vessels that undergo classing would incur the maximum cost, 
representing less than 1 percent of the affected population. To reflect 
a more likely cost impact on the typical commercial fishing vessel, we 
calculate a weighted cost using a Monte Carlo simulation described in 
Appendix H of the Regulatory Impact Analysis. Assigning the full burden 
of the cost to the remaining population of 35,855 would distort the 
estimated regulatory burden \54\. The weighted implementation and 
recurring cost, on a per vessel basis, for requirements (1), (2), (3), 
and (4) are $7,643 and $897, respectively. For the most part, 
commercial fishing vessel owners own 1 vessel. In our sample, when an 
entity owns more than 1 vessel, we calculate the cost per entity by 
multiplying the cost per vessel by the number of vessels owned.
---------------------------------------------------------------------------

    \54\ In an effort to capture the impact of requirement ``(4) 
Classing of Vessels, Third Party,'' we simulated the costs based on 
probability. Specifically, we used a Monte Carlo simulation to 
better understand the uncertainty in our costs estimate. For a more 
detailed discussion, refer to Appendix H.
    \55\ The weighted costs is a calculation of a vessel's cost in 
which each regulatory requirement is proportionately weighted by the 
affected population. That is, each regulatory requirement is 
assigned a weight based on the relative size of the affected 
population.
    \56\ Sec. 318(a) of the Coast Guard Authorization Act of 2015, 
Pub. L. 114-120, changed the applicability of classing requirements 
for CFVs. The 2010 and 2012 legislation extended the classing 
requirement to CFVs of 50 feet or more overall in length and built 
before July 1, 2013. The 2015 Act exempts from that requirement CFVs 
of at least 50 and not more than 79 feet overall in length, and 
built after Feb. 8, 2016, provided their construction is overseen by 
a State-licensed naval architect or marine engineer, and their 
design ``incorporates standards equivalent to those prescribed by a 
classification society . . . . or another qualified organization. . 
. .'' This NPRM does not incorporate any of the 2015 provisions, 
which must be reflected in our regulations through future regulatory 
action.

                                                Table 25--Proposed Rule Weighted Average Cost Per Vessel
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                   Maximum costs                Weighted costs \55\
                       Requirement                           Affected         Weight     ---------------------------------------------------------------
                                                            population                        Initial        Recurring        Initial        Recurring
--------------------------------------------------------------------------------------------------------------------------------------------------------
(1) Survival Craft......................................          24,771           68.6%          $1,740            $300          $1,193            $206
(2) Records.............................................          36,115           100.0              18              18              18              18
(3) Examinations and Certificates of Completion.........          36,115           100.0             600             600             600             600
(4) Classing of Vessels, Third Party \56\...............             260             0.7         810,000          10,200           5,831              73
                                                         -----------------------------------------------------------------------------------------------
    Total Cost per Vessel...............................                                         812,358          11,118           7,643             897
--------------------------------------------------------------------------------------------------------------------------------------------------------


[[Page 40463]]

[GRAPHIC] [TIFF OMITTED] TP21JN16.003

    For the initial implementation period, based on MANTA revenue 
estimates, 18 percent of affected owners will incur a cost of 1 percent 
or less of revenues, while 17 percent will incur a cost impact of 
between 10 and 30 percent of revenues. Approximately 6 percent will 
incur costs greater than 30 percent of revenues. (Table 25). For the 
recurring costs, 74 percent of fishing vessel owners will incur 1 
percent or less of revenues. The Coast Guard expects this rule will 
have a significant economic impact on a substantial number of small 
entities. As discussed previously, this rulemaking would implement only 
the mandatory provisions required by Congress and for which the Coast 
Guard cannot exercise discretion. Therefore, the Coast Guard does not 
have the authority to grant relief to small businesses from the cost of 
this rule.

         Table 26--Revenue Impacts on Affected Small Businesses
------------------------------------------------------------------------
                                           Initial
            Impact range               implementation   Recurring impact
                                      impact (percent)      (percent)
------------------------------------------------------------------------
0% < Impact <= 1%...................                18                74
1 < Impact <= 3.....................                21                19
3 < Impact <= 5.....................                13                 3
5 < Impact <= 10....................                24                 2
10 < Impact <= 30...................                17               1.5
>= 30...............................                 6               0.3
------------------------------------------------------------------------

C. Assistance for Small Entities

    Under section 213(a) of the Small Business Regulatory Enforcement 
Fairness Act of 1996 (Pub. L. 104-121), we want to assist small 
entities in understanding this rule so that they can better evaluate 
its effects on them and participate in the rulemaking. If the rule 
would affect your small business, organization, or governmental 
jurisdiction and you have questions concerning its provisions or 
options for compliance, please contact the Coast Guard (see FOR FURTHER 
INFORMATION CONTACT). The Coast Guard will not retaliate against small 
entities that question or complain about this rule or any policy or 
action of the Coast Guard.
    Small businesses may send comments on the actions of Federal 
employees who enforce, or otherwise determine

[[Page 40464]]

compliance with, Federal regulations to the Small Business and 
Agriculture Regulatory Enforcement Ombudsman and the Regional Small 
Business Regulatory Fairness Boards. The Ombudsman evaluates these 
actions annually and rates each agency's responsiveness to small 
business. If you wish to comment on actions by employees of the Coast 
Guard, call 1-888-REG-FAIR (1-888-734-3247).

D. Collection of Information

    This proposed rule calls for a revision to an existing collection 
of information under the Paperwork Reduction Act of 1995 (44 U.S.C. 
3501-3520). As defined in 5 CFR 1320.3(c), ``collection of 
information'' comprises reporting, recordkeeping, monitoring, posting, 
labeling, and other, similar actions. The title and description of the 
information collections, a description of those who must collect the 
information, and an estimate of the total annual burden follow. The 
estimate covers the time for reviewing instructions, searching existing 
sources of data, gathering and maintaining the data needed, and 
completing and reviewing the collection.
    Title: Commercial Fishing Industry Vessel Regulations.
    OMB Control Number: 1625-0061.
    Summary of the Collection of Information: Sections 28.140, 28.155, 
28.201, and 28.270 of this proposed rule would amend the collection-of-
information requirements for vessel owners and operators of certain 
U.S. commercial fishing vessels. These changes would require vessel 
owners and operators that operate beyond 3 nautical miles of the 
baseline to document lifesaving equipment maintenance and inspection 
and instructions and drills.
    Vessel owners and operators of subpart C CFVs (those operating 
beyond 3 nautical miles, or with more than 16 individuals on board, or 
that are Aleutian fish tenders) must also document the completion of a 
dockside examination at least once every 5 years. These new 
requirements would require a change in previously approved OMB 
Collection 1625-0061.
    Need for Information: The Coast Guard needs this information to 
determine whether a vessel meets the new regulatory requirements for 
dockside examinations, and documentation of certain activities.
    Proposed Use of Information: The Coast Guard would use this 
information to determine whether a vessel meets the new regulatory 
requirements for dockside examinations, and documentation of certain 
activities.
    Description of Respondents: The respondents are vessel owners and 
operators of certain U.S. commercial fishing vessels.
    Number of Respondents: This proposed rule would increase the number 
of respondents in this OMB-approved collection by 36,115 as operators 
of certain commercial fishing vessels would need to document dockside 
examinations, and certain maintenance activities.
    Frequency of Response: This proposed rule would vary the number of 
responses each year by requirement. Details are shown in Table 27.
    Burden of Response: The burden of response for each regulatory 
requirement varies. Details are shown in Table 27.
    Estimate of Total Annual Burden: The annual increase in burden from 
this rule would be approximately 20,251 hours. That includes 14,446 
hours from the private sector (36,115 responses) and an additional 
government burden estimated at 5,805 hours for 23,221 responses.

                                                 Table 27--Collection of Information by NPRM Requirement
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                           Annual                          Number of      Total
          NPRM requirement                   Frequency         Duration   duration  Number of     Wage     responses    number of     Annual     Annual
                                                               (hours)    (hours)     vessels     rate      per year    responses     burden      cost
--------------------------------------------------------------------------------------------------------------------------------------------------------
Records, Documentation of Equipment   Varies................        0.4        0.4     36,115        $45            1       36,115     14,446   $652,324
 Maintenance, and Inspection.
Examination and Certificates of       Once over the first          0.25       0.25     23,221         45            1       23,221      5,805    262,142
 Compliance, Documentation.            three years.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Additional Burden for NPRM...........................................................................................       59,336     20,251    914,465
--------------------------------------------------------------------------------------------------------------------------------------------------------
Government Costs, Examination and     Once over the first          0.25       0.25     23,221         66            1       23,221      5,805    377,341
 Certificates of Compliance.           three years.
--------------------------------------------------------------------------------------------------------------------------------------------------------

    As required by the Paperwork Reduction Act of 1995, 44 U.S.C. 
3,507(d), we have submitted a copy of this rule and an information 
request to OMB for its review of the collection of information.
    We ask for public comment on the collection of information to help 
us determine how useful the information is; whether it can help us 
perform our functions better; whether it is readily available 
elsewhere; how accurate our estimate of the burden of collection is; 
how valid our methods for determining burden are; how we can improve 
the quality, usefulness, and clarity of the information; and how we can 
minimize the burden of collection.
    If you submit comments on the collection of information, submit 
them both to OMB and to the Docket Management Facility where indicated 
under ADDRESSES, by the date under DATES.
    You need not respond to a collection of information unless it 
displays a currently valid control number from OMB. Before the Coast 
Guard could enforce the collection of information requirements in this 
rule, OMB would need to approve the Coast Guard's request to collect 
this information.

E. Federalism

    A rule has implications for federalism under Executive Order 13132 
\57\ if it has a substantial direct effect on the States, on the 
relationship between the national government and the States, or on the 
distribution of power and responsibilities among the various levels of 
government. We have analyzed this rule under that Order and have 
determined that it is consistent with the

[[Page 40465]]

fundamental federalism principles and preemption requirements described 
in Executive Order 13132. Our analysis is explained below.
---------------------------------------------------------------------------

    \57\ ``Federalism,'' 64 FR 43255 (Aug. 4, 1999).
---------------------------------------------------------------------------

    As noted above, this proposed rule would implement the statutory 
requirements enacted by the CGAA and CGMTA. In certain instances, 
Congress amended the scope and applicability of existing laws for 
uninspected commercial fishing vessels. For instance, the CGAA amended 
the applicability of 46 U.S.C. 4502(b)(1) so that previously 
promulgated equipment regulations are now required for undocumented 
commercial fishing vessels. Additionally, Congress changed the 
applicability of the statute to commercial fishing vessels that operate 
beyond ``3 nautical miles from the baseline from which the territorial 
sea of the United States is measured or beyond 3 nautical miles from 
the coastline of the Great Lakes.'' Therefore, regulations promulgated 
under 46 U.S.C. 4502(b)(1), including those promulgated under its 
amended applicability, are within fields foreclosed from state or local 
regulation.
    Congress also amended existing 46 U.S.C. 4502(b)(2), which directed 
the Coast Guard, via delegation by the Secretary, to promulgate 
regulations in the field of marine radios, survival craft, navigation 
equipment, medical supplies, and ground tackle for both documented and 
undocumented uninspected fishing vessels, fish processing vessels, or 
fish tender vessels, that operate beyond three nautical miles from the 
baseline, operate with more than 16 individuals on board, or that is a 
fish tender vessel that engages in the Aleutian trade. The Coast Guard 
has been granted the exclusive authority to promulgate regulations 
within these fields for these specific vessels and, consequently, these 
regulations are within fields foreclosed from state or local 
regulation.
    Congress also directed the Coast Guard, via delegation by the 
Secretary, to promulgate additional regulations under for documented 
and undocumented uninspected commercial fishing vessels, fish 
processing vessels, or fish tender vessels, that operate beyond three 
nautical miles from the baseline, operate with more than 16 individuals 
on board, or that is a fish tender vessel that engages in the Aleutian 
trade. Specifically, Congress directed the Coast Guard to promulgate 
regulations for the training and certification of individuals in charge 
of these vessels, regulations requiring the individuals in charge of 
these vessels to maintain a record of equipment maintenance, required 
instruction and drills, and regulations that require dockside 
examinations and the issuance of certificates of compliance for these 
vessels. The Coast Guard has been granted the exclusive authority to 
promulgate regulations within the fields of training \58\ and 
certification of individuals in charge, record-keeping, dockside 
examinations, and the issuance of certificates of compliance for 
subpart C CFVs, and consequently these regulations are also within 
fields foreclosed from state or local regulation.
---------------------------------------------------------------------------

    \58\ Because regulations on training require the exercise of the 
Coast Guard's discretion, and this proposed rule would be confined 
to implementing those statutory mandates that do not require the 
exercise of discretion, training will be the subject of future Coast 
Guard regulatory action and is not covered by the proposed rule.
---------------------------------------------------------------------------

    Congress also established a new subsection in 46 U.S.C. 4502 that 
requires documented and undocumented uninspected fishing vessels, fish 
processing vessels, or fish tender vessels, that operate beyond 3 
nautical miles from the baseline, operate with more than 16 individuals 
on board, or that is a fish tender vessel that engages in the Aleutian 
trade, to meet a level of safety equivalent to the minimum safety 
standards established by the Coast Guard for recreational vessels, 
promulgated under 46 U.S.C. 4302, so long as these commercial fishing 
vessels are less than 50 feet overall in length and are built after 
January 1, 2010. Regulations promulgated under 46 U.S.C. 4302 are 
within fields that Congress gave the Coast Guard the exclusive 
authority to regulate, and therefore, these regulations are within 
fields foreclosed from state or local regulation.
    Additionally, Congress expanded the applicability of 46 U.S.C. 4503 
for survey and classification requirements to documented or 
undocumented uninspected fishing vessels, fish processing vessels, or 
fish tender vessels, that operate beyond 3 nautical miles from the 
baseline, operate with more than 16 individuals on board, or that is a 
fish tender vessel that engages in the Aleutian trade, and that are 
also at least 50 feet overall in length and are built after July 1, 
2013. The Coast Guard has been granted the exclusive authority to 
promulgate regulations for survey and classification requirements for 
these specific vessels and, consequently, these regulations are within 
fields foreclosed from state or local regulation.
    Furthermore, Congress amended 46 U.S.C. 5102, so that fishing 
vessels built after July 1, 2013, must now be assigned a load line. The 
Coast Guard has been granted the exclusive authority to promulgate load 
line requirements for fishing vessels built after July 1, 2013. The 
regulations promulgated under 46 U.S.C. 5104 with respect to load lines 
for these vessels are within a field foreclosed from state or local 
regulation.
    Lastly, Congress enacted 46 U.S.C. 2117, which grants the Coast 
Guard the authority to terminate a commercial fishing vessel's 
operations if an authorized individual determines that unsafe 
conditions exist. For these specific vessels, Congress granted to the 
Coast Guard the exclusive authority to enforce this section and to 
issue regulations pertaining to the termination of unsafe operations. 
These regulations, therefore, would be within a field foreclosed from 
state or local regulation.
    While it is well settled that States may not regulate in categories 
in which Congress intended the Coast Guard to be the sole source of a 
vessel's obligations, the Coast Guard recognizes the key role that 
State and local governments may have in making regulatory 
determinations. Additionally, for rules with federalism implications 
and preemptive effect, Executive Order 13132 specifically directs 
agencies to consult with State and local governments during the 
rulemaking process. If you believe this rule has implications for 
federalism under Executive Order 13132, please contact the person 
listed in the FOR FURTHER INFORMATION section of this preamble.

F. Unfunded Mandates Reform Act

    The Unfunded Mandates Reform Act of 1995, 2 U.S.C. 1531-1538, 
requires Federal agencies to assess the effects of their discretionary 
regulatory actions. In particular, the Act addresses actions that may 
result in the expenditure by a State, local, or Tribal government, in 
the aggregate, or by the private sector of $100,000,000 (adjusted for 
inflation) or more in any one year. Though this proposed rule would not 
result in such an expenditure, we do discuss the effects of this rule 
elsewhere in this preamble.

G. Taking of Private Property

    This proposed rule would not cause a taking of private property or 
otherwise have taking implications under Executive Order 12630, 
Governmental Actions and Interference with Constitutionally Protected 
Property Rights.

H. Civil Justice Reform

    This proposed rule meets applicable standards in sections 3(a) and 
3(b)(2) of Executive Order 12988, Civil Justice Reform, to minimize 
litigation, eliminate ambiguity, and reduce burden.

[[Page 40466]]

I. Protection of Children

    This rule is neither economically significant under Executive Order 
12866 nor does it create an environmental risk to health or a risk to 
safety within the meaning of Executive Order 13045, Protection of 
Children From Environmental Health Risks and Safety Risks.

J. Indian Tribal Governments

    This rule does not have tribal implications under Executive Order 
13175, Consultation and Coordination with Indian Tribal Governments, 
because it does not have a substantial direct effect on one or more 
Indian tribes, on the relationship between the Federal Government and 
Indian tribes, or on the distribution of power and responsibilities 
between the Federal Government and Indian tribes.

K. Energy Effects

    We have analyzed this rule under Executive Order 13211, Actions 
Concerning Regulations That Significantly Affect Energy Supply, 
Distribution, or Use. We have determined that it is not a ``significant 
energy action'' under that order. Though it is a ``significant 
regulatory action'' under Executive Order 12866, it is not likely to 
have a significant adverse effect on the supply, distribution, or use 
of energy. The Administrator of the Office of Information and 
Regulatory Affairs has not designated it as a significant energy 
action. Therefore, it does not require a Statement of Energy Effects 
under Executive Order 13211.

L. Technical Standards

    The National Technology Transfer and Advancement Act (15 U.S.C. 272 
note) directs agencies to use voluntary consensus standards in their 
regulatory activities unless the agency provides Congress, through OMB, 
with an explanation of why using these standards would be inconsistent 
with applicable law or otherwise impractical. Voluntary consensus 
standards are technical standards (e.g., specifications of materials, 
performance, design, or operation; test methods; sampling procedures; 
and related management systems practices) that are developed or adopted 
by voluntary consensus standards bodies.
    This proposed rule does not use technical standards. Therefore, we 
did not consider the use of voluntary consensus standards.

M. Environment

    We have analyzed this proposed rule under Department of Homeland 
Security Management Directive 023-01 and Commandant Instruction 
M16475.lD, which guide the Coast Guard in complying with the National 
Environmental Policy Act of 1969 (42 U.S.C. 4321-4370f), and have 
concluded that this action is one of a category of actions that do not 
individually or cumulatively have a significant effect on the human 
environment. This proposed rule is categorically excluded under section 
2.B.2, figure 2-1, paragraph (34)(c), (d), and (e) of the Instruction, 
and under sections 6(a) and 6(b) of the ``Appendix to National 
Environmental Policy Act: Coast Guard Procedures for Categorical 
Exclusions, Notice of Final Agency Policy'' (67 FR 48243, July 23, 
2002). This proposed rule involves training of personnel, inspection 
and equipping of vessels, equipment approval and carriage requirements, 
vessel operation safety equipment and standards, and congressionally 
mandated regulations that protect the environment. An environmental 
analysis checklist is available in the docket where indicated under 
ADDRESSES.

List of Subjects in 46 CFR Part 28

    Alaska, Fire prevention, Fishing vessels, Incorporation by 
reference, Marine safety, Occupational safety and health, Reporting and 
recordkeeping requirements, Seamen.

    For the reasons discussed in the preamble, the Coast Guard proposes 
to amend 46 CFR part 28 as follows:

Title 46--Shipping

PART 28--REQUIREMENTS FOR COMMERCIAL FISHING INDUSTRY VESSELS

0
1. The authority citation for part 28 is revised to read as follows:

    Authority: 46 U.S.C. 2103, 3316, 4502, 4505, 4506, 6104, 10603; 
Department of Homeland Security Delegation No. 0170.1, para. II 
(92.a), (92.b), (92.d), (92.g).

0
2. Amend Sec.  28.65 by revising paragraph (a) to read as follows and 
by removing paragraph (c).


Sec.  28.65  Termination of unsafe operations.

    (a) A Coast Guard Boarding Officer is an individual authorized to 
enforce Title 46 of the United States Code for the purposes of 46 
U.S.C. 2117 and may--
    (1) Remove a certificate required by Title 46 from a vessel that is 
operating in a condition that does not comply with the provisions of 
the certificate;
    (2) Order the master of a vessel that is operating that does not 
have onboard the certificate required by Title 46 to return the vessel 
to a mooring and to remain there until the vessel is in compliance with 
that title; and
    (3) Direct the master of a vessel to which Title 46 applies to 
immediately take reasonable steps necessary for the safety of 
individuals onboard the vessel if the Boarding Officer observes the 
vessel being operated in an unsafe condition that the official believes 
creates an especially hazardous condition, including ordering the 
master to return the vessel to a mooring and remain there until the 
situation creating the hazard is corrected or ended.
* * * * *
0
3. Amend Sec.  28.110 by revising Table 28.110 to read as follows:


Sec.  28.110  Life preservers or other personal flotation devices.

* * * * *

                          Table 28.110--Personal Flotation Devices and Immersion Suits
----------------------------------------------------------------------------------------------------------------
          Applicable waters                  Vessel type            Devices required        Other regulations
----------------------------------------------------------------------------------------------------------------
Beyond 3 nautical miles from the       Documented.............  Immersion suit or        28.135; 25.25-9(a);
 baseline from which the territorial                             exposure suit.           25.25-13; 25.25-15.
 sea of the U.S. is measured and
 north of 32[deg]N or south of
 32[deg]S; and Lake Superior.
Coastal waters on the west coast of    All....................  Immersion suit or        28.135; 25.25-9(a);
 the U.S. north of Point Reyes, CA;                              exposure suit.           25.25-13; 25.25-15.
 beyond coastal waters, cold water;
 and Lake Superior.
All other waters (includes all Great   40 feet (12.2 meters)    Type I, Type V           28.135; 25.25-5(e);
 Lakes except Lake Superior).           or more in length.       commercial hybrid,       25.25-5(f); 25.25-
                                                                 immersion suit, or       9(a); 25.25-13; 25.25-
                                                                 exposure suit.\1\        15.

[[Page 40467]]

 
                                       Less than 40 feet (12.2  Type I, Type II, Type    28.135; 25.25-5(e);
                                        meters) in length.       III, Type V commercial   25.25-5(f); 25.25-
                                                                 hybrid, immersion        9(a); 25.25-13; 25.25-
                                                                 suit, or exposure        15.
                                                                 suit.\1\
----------------------------------------------------------------------------------------------------------------
\1\ Certain Type V personal flotation devices are approved for substitution for Type I, II, or III personal
  flotation devices when used in accordance with the conditions stated in the Coast Guard approval table.

0
4. In Sec.  28.120, add paragraph (i) to read as follows:


Sec.  28.120  Survival craft.

* * * * *
    (i) On any vessel to which subpart C of this part applies, a 
survival craft described in this section must ensure that no part of an 
individual is immersed in water.
0
5. Amend Sec.  28.130 by adding paragraph (e) to read as follows:


Sec.  28.130  Survival craft equipment.

* * * * *
    (e) On any vessel to which subpart C of this part applies, a 
survival craft described in this section must ensure that no part of an 
individual is immersed in water.
0
6. Add Sec.  28.170 to read as follows:


Sec.  28.170  Load lines.

    Each fishing vessel built after July 1, 2013, must be assigned a 
load line in accordance with Subchapter E (Load Lines) of this chapter 
if it is 79 feet in length or greater, and operates outside the 
Boundary Line (per part 7 of this chapter).
0
7. Revise the heading for 46 CFR part 28, subpart C, to read as 
follows:

Subpart C--Requirements for Vessels Operating Beyond 3 Nautical 
Miles, or With More Than 16 Individuals Onboard, or As Fish Tender 
Vessels Engaged in the Aleutian Trade

0
8. Amend Sec.  28.200 as follows:
0
a. Revise the section heading;
0
b. Designate the introductory text as new paragraph (a) and remove the 
word ``documented,'' and redesignate existing paragraphs (a), (b), and 
(c) as paragraphs (a)(1), (2), and (3), respectively;
0
c. In newly redesignated paragraph (a)(1), remove the words ``the 
Boundary Lines'' and add, in their place, the words ``3 nautical miles 
from the baseline by which the territorial sea of the U.S. is 
measured''; and
0
d. Add new paragraph (b).
    The revision and addition to read as follows:


Sec.  28.200  Applicability; documentation of maintenance, training, 
and drills.

* * * * *
    (b) The individual in charge of a vessel described in paragraph (a) 
of this section must keep a record of equipment maintenance, and 
required instruction and drills for three years.
0
9. Add Sec.  28.201 to read as follows:


Sec.  28.201  Examination and certification.

    (a) Each vessel to which this subpart applies must be examined at 
dockside at least once every 5 years. Topics and equipment covered by 
the examination are listed on the Coast Guard Web site, 
www.fishsafe.info/, and generally cover lifesaving equipment, required 
documentation, bridge and engine room equipment, and miscellaneous 
required items. Each vessel meeting the applicable requirements of 46 
U.S.C. chapter 45, ``Uninspected Commercial Fishing Vessels,'' is 
issued a Coast Guard certificate of compliance following examination.
    (b) Each vessel to which this subpart applies that is at least 50 
feet overall in length and built after July 1, 2013, must--
    (1) Meet all survey and classification requirements prescribed by 
the American Bureau of Shipping, available at http://homeport.uscg.mil, 
or another similarly qualified organization approved by the Coast 
Guard; and
    (2) Have onboard a certificate issued by the American Bureau of 
Shipping or that other organization evidencing compliance with 
paragraph (b) of this section.
    (c) A vessel to which this subpart applies that is at least 50 feet 
overall in length and was classed before July 1, 2012, must remain 
subject to the requirements of a classification society approved by the 
Coast Guard and have onboard a certificate from that society.
0
10. Add Sec.  28.202 to read as follows:


Sec.  28.202  Construction requirement for smaller vessels.

    Each vessel to which this subpart applies that is less than 50 feet 
overall in length and built after January 1, 2010, must be constructed 
in a manner that provides a level of safety equivalent to the 
recreational vessel regulations in 33 CFR part 183.
0
11. Amend Sec.  28.205 by adding introductory text to read as follows:


Sec.  28.205  Fireman's outfits and self-contained breathing apparatus.

    For any documented vessel to which this subpart applies:
* * * * *


Sec.  28.210  [Amended]

0
12. Amend Sec.  28.210 as follows:
0
a. In paragraph (a), remove the words ``medicine chest of a size 
suitable for the number of individuals on board'', and add, in their 
place, the words ``medical supplies sufficient for the size and area of 
operation of the vessel, which on documented vessels must be in a 
readily accessible location'';
0
b. In paragraph (b) introductory text, before the words ``certification 
in first aid and CPR'', add the words ``On any documented vessel,'';
0
c. In paragraph (b), remove the word ``Certification'' and add in its 
place the word ``certification''; and
0
d. In paragraphs (c), (d), and (e), after the word ``Each'' and before 
the word ``vessel'', add the word ``documented''.
0
13. Amend Sec.  28.215 by adding introductory text to read as follows:


Sec.  28.215  Guards for exposed hazards.

    For any documented vessel to which this subpart applies:
* * * * *
0
14. Amend Sec.  28.225 as follows:
0
a. Redesignate paragraphs (a) and (b) as paragraphs (b) and (c), 
respectively, and add new paragraph (a); and
0
b. In newly redesignated paragraph (b) introductory text and in newly 
redesignated paragraph (c) after the word ``Each'' and before the word 
``vessel'', add the word ``documented''.
    The addition to read as follows:


Sec.  28.225  Navigational information.

    (a) Each vessel must have navigation equipment, including 
compasses, nautical charts, and publications.
* * * * *


Sec.  28.230  [Amended]

0
15. In Sec.  28.230, after the word ``Each'' and before the word 
``vessel'', add the word ``documented''.
0
16. Amend Sec.  28.235 as follows:
0
a. Redesignate paragraphs (a) and (b) as paragraphs (b) and (c), 
respectively;

[[Page 40468]]

0
b. Add new paragraph (a);
0
c. In newly redesignated paragraph (b), remove the words ``Each 
vessel'' and add, in their place, the words ``Each documented vessel''; 
and
0
d. In newly redesignated paragraph (c), before the word 
``nonmetallic'', add the word ``documented''.
    The addition to read as follows:


Sec.  28.235  Anchors and radar reflectors.

    (a) Each vessel must have ground tackle sufficient for the vessel.
* * * * *


Sec.  28.240  [Amended]

0
17. In Sec.  28.240, in paragraph (a), after the word ``each'' and 
before the word ``vessel'', add the word ``documented''.
0
18. Amend Sec.  28.245 as follows:
0
a. Revise paragraph (a) introductory text;
0
b. In paragraphs (a)(1), (a)(2), (a)(3), and (a)(4) after the word 
``Each'' and before the word ``vessel'', add the word ``documented''; 
and
0
c. Revise paragraphs (f), (g), (h), and (i).
    The revisions to read as follows:


Sec.  28.245  Communication equipment.

    (a) Each vessel must have marine radio communications equipment 
sufficient to effectively communicate with land-based search and rescue 
facilities; and except as provided in paragraphs (b) through (e) of 
this section, each documented vessel must be equipped as follows:
* * * * *
    (f) On each documented vessel, the principle operating position of 
the communication equipment must be at the operating station.
    (g) On each documented vessel, communication equipment must be 
installed to ensure safe operation of the equipment and to facilitate 
repair. It must be protected against vibration, moisture, temperature, 
and excessive currents and voltages. It must be located so as to 
minimize the possibility of water intrusion from windows broken by 
heavy seas.
    (h) On each documented vessel, communication equipment must comply 
with the technical standards and operating requirements issued by the 
Federal Communications Commission, as set forth in 47 CFR part 80.
    (i) On each documented vessel, all communication equipment must be 
provided with an emergency source of power that complies with Sec.  
28.375 of this part.


Sec.  28.250  [Amended]

0
19. In Sec.  28.250, in the introductory text, before the word 
``vessel'', add the word ``documented''.
0
20. Amend Sec.  28.255 by adding introductory text to read as follows:


Sec.  28.255  Bilge pumps, bilge piping, and dewatering systems.

    For any documented vessel to which this subpart applies:
* * * * *


Sec.  28.260  [Amended]

0
21. In Sec.  28.260, after the word ``Each'' and before the word 
``vessel'', add the word ``documented''.
0
22. Amend Sec.  28.265 by adding introductory text to read as follows:


Sec.  28.265  Emergency instructions.

    For any documented vessel to which this subpart applies:
* * * * *
0
23. Amend Sec.  28.270 as follows:
0
a. Add a new introductory paragraph; and
0
b. Revise the first sentence of paragraph (a).
    The additions and revisions to read as follows:


Sec.  28.270  Instruction, drills, safety orientation, and training.

    The master or individual in charge of any documented vessel to 
which this subpart applies must ensure compliance with this section, 
but may delegate the actual conduct of instruction and drills required 
by paragraphs (a) through (d) of this section to a person who may or 
may not be a member of the crew.
    (a) Drills and instruction. Drills must be conducted and 
instruction must be given to each individual onboard at least once each 
month. * * *
* * * * *


Sec.  28.500  [Amended]

0
24. Amend Sec.  28.500 introductory text by removing the words ``that 
is not required to be issued a load line under subchapter E of this 
chapter and''.

    Dated: June 10, 2016.
Paul F. Zukunft,
Admiral, U.S. Coast Guard Commandant.
[FR Doc. 2016-14399 Filed 6-20-16; 8:45 am]
 BILLING CODE 9110-04-P



                                                                                                           Vol. 81                           Tuesday,
                                                                                                           No. 119                           June 21, 2016




                                                                                                           Part III


                                                                                                           Department of Homeland Security
                                                                                                           Coast Guard
                                                                                                           46 CFR Part 28
                                                                                                           Commercial Fishing Vessels—Implementation of 2010 and 2012 Legislation;
                                                                                                           Proposed Rule
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                                                     40438                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     DEPARTMENT OF HOMELAND                                    • Email (preferred)—oira_                            www.regulations.gov, contact the person
                                                     SECURITY                                                submission@omb.eop.gov (include the                    in the FOR FURTHER INFORMATION
                                                                                                             docket number and ‘‘Attention: Desk                    CONTACT section of this document for
                                                     Coast Guard                                             Officer for Coast Guard, DHS’’ in the                  alternate instructions. Documents
                                                                                                             subject line of the email).                            mentioned in this notice, and all public
                                                     46 CFR Part 28                                            • Fax—202–395–6566.                                  comments, are in our online docket at
                                                                                                               • Mail—Office of Information and                     http://www.regulations.gov and can be
                                                     [Docket No. USCG–2012–0025]
                                                                                                             Regulatory Affairs, Office of                          viewed by following that Web site’s
                                                     RIN 1625–AB85                                           Management and Budget, 725 17th                        instructions. Additionally, if you go to
                                                                                                             Street NW., Washington, DC 20503,                      the online docket and sign up for email
                                                     Commercial Fishing Vessels—                             ATTN: Desk Officer, U.S. Coast Guard.                  alerts, you will be notified when
                                                     Implementation of 2010 and 2012                           Viewing material proposed for                        comments are posted or a final rule is
                                                     Legislation                                             incorporation by reference. Make                       published.
                                                     AGENCY:   Coast Guard, DHS.                             arrangements to view this material by                     We accept anonymous comments. All
                                                                                                             calling the person identified in the FOR               comments received will be posted
                                                     ACTION:   Notice of proposed rulemaking.
                                                                                                             FURTHER INFORMATION CONTACT section of                 without change to http://
                                                     SUMMARY:    The Coast Guard proposes to                 this document.                                         www.regulations.gov and will include
                                                     align its commercial fishing industry                   FOR FURTHER INFORMATION CONTACT: For                   any personal information you have
                                                     vessel regulations with the mandatory                   information about this document call or                provided. For more about privacy and
                                                     provisions of 2010 and 2012 legislation                 email Jack Kemerer, Chief, Fishing                     the docket, you may review a Privacy
                                                     passed by Congress that took effect upon                Vessels Division (CG–CVC–3), Office of                 Act notice regarding the Federal Docket
                                                     enactment. The alignments would                         Commercial Vessel Compliance (CG–                      Management System in the March 24,
                                                     change the applicability of current                     CVC), Coast Guard; telephone 202–372–                  2005, issue of the Federal Register (70
                                                     regulations, and add new requirements                   1249, email Jack.A.Kemerer@uscg.mil.                   FR 15086).
                                                     for safety equipment, vessel                            SUPPLEMENTARY INFORMATION:                                We are not planning to hold a public
                                                     examinations, vessel safety standards,                                                                         meeting but will consider doing so if
                                                                                                             Table of Contents for Preamble
                                                     the documentation of maintenance, and                                                                          public comments indicate a meeting
                                                     the termination of unsafe operations.                   I. Public Participation and Comments                   would be helpful. We would issue a
                                                     This rule only proposes to implement                       A. Submitting Comments
                                                                                                                                                                    separate Federal Register notice to
                                                     these legislative mandates, would                          B. Viewing Comments and Documents
                                                                                                                C. Privacy Act                                      announce the date, time, and location of
                                                     exercise no Coast Guard regulatory                                                                             such a meeting.
                                                                                                                D. Public Meeting
                                                     discretion, and would promote the                       II. Abbreviations
                                                     Coast Guard’s maritime safety mission.                                                                         II. Abbreviations
                                                                                                             III. Executive Summary
                                                     It does not reflect any provision of the                IV. Background Basis, and Purpose                      APA Administrative Procedure Act
                                                     Coast Guard Authorization Act of 2015,                  V. Discussion of Comments on 2008 ANPRM                CFV Commercial Fishing Industry Vessels
                                                     but the preamble to this document                       VI. Discussion of CGAA and CGMTA                       CGAA Coast Guard Authorization Act of
                                                     discusses its likely impact where                             Mandates and the Proposed Rule                     2010
                                                     appropriate. That Act will be the subject               VII. Regulatory Analyses                               CGMTA Coast Guard and Maritime
                                                     of future Coast Guard regulatory action.                   A. Regulatory Planning and Review                     Transportation Act of 2012
                                                                                                                B. Small Entities                                   DHS Department of Homeland Security
                                                     DATES: Comments and related material                       C. Assistance for Small Entities                    EPIRBs Emergency Position Indicating
                                                     must be submitted to the online docket                     D. Collection of Information                          Radio Beacons
                                                     via http://www.regulations.gov, or reach                   E. Federalism                                       FR Federal Register
                                                     the Docket Management Facility, on or                      F. Unfunded Mandates Reform Act                     GPS Global Positioning System
                                                     before September 19, 2016. Comments                        G. Taking of Private Property                       MISLE Marine Information for Safety and
                                                     sent to the Office of Management and                       H. Civil Justice Reform                               Law Enforcement
                                                     Budget (OMB) on the proposed                               I. Protection of Children                           NMFS National Marine Fisheries Service
                                                     collection of information must reach                       J. Indian Tribal Governments                        NOAA National Oceanic and Atmospheric
                                                                                                                K. Energy Effects                                     Association
                                                     OMB on or before September 19, 2016.                                                                           OCMI Officer in Charge, Marine Inspection
                                                                                                                L. Technical Standards
                                                     ADDRESSES: You may submit comments                         M. Environment                                      PFD Personal Flotation Device
                                                     identified by docket number USCG–                                                                              Pub. L. Public Law
                                                     2012–0025 using the Federal                             I. Public Participation and Comments                   U.S.C. United States Code
                                                     eRulemaking Portal at http://                              We view public participation as                     III. Executive Summary
                                                     www.regulations.gov. See the ‘‘Public                   essential to effective rulemaking, and
                                                     Participation and Request for                           will consider all comments and material                   This rule proposes to implement
                                                     Comments’’ portion of the                               received during the comment period.                    statutory requirements enacted by the
                                                     SUPPLEMENTARY INFORMATION section for                   Your comment can help shape the                        Coast Guard Authorization Act of 2010
                                                     further instructions on submitting                      outcome of this rulemaking. If you                     (CGAA) 1 and the Coast Guard and
                                                     comments.                                               submit a comment, please include the                   Maritime Transportation Act of 2012
                                                        Collection of information. You must                  docket number for this rulemaking,                     (CGMTA).2 Both Acts contain
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                                                     submit comments on the collection of                    indicate the specific section of this                  provisions affecting those commercial
                                                     information discussed in section VII.D                  document to which each comment                         fishing industry vessels (CFVs) that do
                                                     of this preamble both to the Coast                      applies, and provide a reason for each                 not require Coast Guard inspection and
                                                     Guard’s docket and to the Office of                     suggestion or recommendation.                          certification. With respect to the CGAA,
                                                     Information and Regulatory Affairs                         We encourage you to submit                          Congress intended the new
                                                     (OIRA) in the White House Office of                     comments through the Federal                           requirements to help improve the safety
                                                     Management and Budget. OIRA                             eRulemaking Portal at http://
                                                     submissions can use one of the listed                   www.regulations.gov. If your material                    1 Pub.   L. 111–281, 124 Stat. 2905, Title VI.
                                                     methods.                                                cannot be submitted using http://                        2 Pub.   L. 112–213, 126 Stat. 1540.



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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                     40439

                                                     of an industry that experiences vessel                  That Act will be the subject of future                 Boundary Line.’’ The location of the
                                                     losses and crew deaths.3                                Coast Guard regulatory action.                         Boundary Line is set by Coast Guard
                                                        This proposed rule is authorized by                     Vessel parity. Some statutory                       regulation and varies by distance from
                                                     the CGAA and the CGMTA, and by                          provisions with respect to special                     the coastline around the country. The
                                                     rulemaking authority delegated to the                   equipment requirements apply only to                   CGAA redefined the relevant distance as
                                                     Coast Guard by the Secretary of                         the subset of CFVs that operate beyond                 ‘‘beyond 3 nautical miles from the
                                                     Homeland Security.4 The need for this                   U.S. Boundary Lines (which, as                         baseline from which the territorial sea of
                                                     rule exists because current Coast Guard                 subsequently discussed, the CGAA                       the United States is measured or beyond
                                                     CFV regulations are based on statutes                   changed to beyond 3 nautical miles                     3 nautical miles from the coastline of
                                                     that the CGAA and CGMTA changed                         from the U.S. territorial sea baseline), or            the Great Lakes,’’ and this rule proposes
                                                     significantly. If the regulations do not                with more than 16 persons onboard, or                  to align regulatory language accordingly.
                                                     align with the CGAA and CGMTA, there                    that are Aleutian Trade fish tender                       Survival craft. Until the CGAA was
                                                     is no way for commercial fishermen or                   vessels. These CFVs are subject to                     enacted, certain CFVs were allowed by
                                                     the general public to clearly understand                special Coast Guard regulatory                         statute and regulation to use life floats
                                                     what they must do to comply with the                    requirements set forth in 46 CFR part                  or rigid buoyant apparatus as survival
                                                     CGAA and CGMTA requirements.                            28, subpart C, and are referred to                     craft. The CGAA requires survival craft
                                                     Without these proposed changes, Coast                   throughout this preamble as ‘‘subpart C                on all CFVs to fully protect the
                                                     Guard regulations would be inconsistent                 CFVs’’. Until enactment of the CGAA,                   occupants from exposing any part of the
                                                     with the CGAA and CGMTA, leading to                     only Federally documented CFVs were                    body to immersion in water.6 This rule
                                                     confusion and uncertainty, particularly                 required to comply with the special                    proposes to include that requirement in
                                                     with regard to the Coast Guard’s                        equipment requirements; 5 the                          the CFV regulations and requests public
                                                     enforcement authority.                                  (typically) smaller CFVs that require                  comment on whether or not, and to
                                                        The CGAA and CGMTA mandated                          only State registration were excluded.                 what extent, if any, we should exercise
                                                     action with respect to the following                    The CGAA required uniform safety                       the limited grandfathering authorized by
                                                     topics:                                                 standards and equipment requirements                   the CGAA and the CGMTA for certain
                                                        • Vessel parity;                                     for all CFVs (whether documented or                    non-conforming survival craft.
                                                        • Substitution of baseline for                       undocumented) that operate beyond 3                       Records. This rule proposes to amend
                                                     Boundary Line criteria;                                 nautical miles of the baseline of the                  the CFV regulations so that they include
                                                        • Survival craft;                                    territorial sea or the coastline of the                the CGAA requirement that individuals
                                                        • Records;                                           Great Lakes. This rule proposes to                     in charge of certain CFVs keep records
                                                        • Vessel examinations;                               implement the CGAA by revising                         of equipment maintenance, and crew
                                                        • Training;                                          subpart C to reflect that change in                    instruction and drills.
                                                        • Construction standards for smaller                 applicability.                                            Vessel examinations. Until the CGAA
                                                     vessels;                                                   Some existing subpart C regulatory                  was enacted, the only CFVs required by
                                                        • Load lines;                                        requirements are the result of prior
                                                        • Classing of vessels;                                                                                      the Coast Guard to undergo dockside
                                                                                                             Coast Guard discretionary                              safety examinations were fish
                                                        • Termination of unsafe operations;
                                                                                                             determinations that the requirement is                 processors, or fish tenders in the
                                                     and
                                                                                                             necessary for the safety of the                        Aleutian trade. This rule proposes to
                                                        • Miscellaneous.
                                                        This rule only proposes to take                      documented CFVs to which subpart C                     incorporate the CGAA and CGMTA
                                                     regulatory action on those topics listed                formerly was restricted. The Coast                     provisions that extend dockside
                                                     above where the statutory mandate took                  Guard declines to extend those same                    examination requirements to any
                                                     effect upon enactment of the CGAA in                    requirements to undocumented CFVs                      subpart C CFV. Dockside examinations
                                                     October 2010 and the CGMTA in                           because the proposed rule focuses                      must take place at least once every 5
                                                     December 2012, and can be                               exclusively on CGAA and CGMTA                          years, with the first examinations to
                                                     incorporated in Coast Guard CFV                         mandates, and the Coast Guard is not                   have been completed by October 15,
                                                     regulations without the exercise of any                 using any discretionary authority which                2015.
                                                     Coast Guard discretion. Other CGAA                      would be required in order to make                        Construction standards for smaller
                                                     and CGMTA provisions relating to CFVs                   such a determination. The proposed                     vessels. This rule proposes to amend
                                                     with later effective dates and those that               rule would amend subpart C to clarify                  CFV regulations to include the CGAA
                                                     require exercise of Coast Guard                         that, at least for now, the proposed                   requirement for CFVs under 50 feet in
                                                     discretion may be the subject of future                 changes would apply only to                            length and built in 2010 or later to
                                                     Coast Guard rulemakings. The proposed                   documented subpart C CFVs.                             comply with Coast Guard construction
                                                                                                                Substitution of baseline for Boundary               standards for recreational vessels.
                                                     rule does not reflect any provision of the
                                                                                                             Line criteria. Special statutory                          Load lines. Until the CGAA was
                                                     Coast Guard Authorization Act of 2015.
                                                                                                             provisions involving safety standards                  enacted, CFVs were exempt from all
                                                        3 See H.R. Rep. No. 111–303, pt. 1, at 93
                                                                                                             apply to the subset of CFVs that operate               statutory or regulatory load line
                                                     (accompanying H.R. 3619, the Coast Guard                relatively far from shore, or with more                requirements. This rule proposes to
                                                     Authorization Act of 2010): ‘‘The [marine safety        than 16 persons onboard, or that are                   amend Coast Guard regulations to
                                                     title] of H.R. 3619 contains a variety of provisions    Aleutian Trade fish tender vessels.
                                                     intended to strengthen the Coast Guard’s
                                                                                                                                                                    reflect the CGAA and CGMTA
                                                                                                             Formerly, the relevant distance from                   provisions that remove the load line
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                                                     implementation of its marine safety functions.
                                                     These provisions will ensure that the Coast Guard       shore was defined as ‘‘beyond the
                                                     maintains a marine safety program that prevents                                                                  6 The Coast Guard Authorization Act of 2015,
                                                     casualties from occurring, minimizes the effect of        5 See46 CFR 67.7 for what constitutes a              Pub. L. 114–120, amended 46 U.S.C. 3104 by
                                                     the casualty, and maximizes lives saved, if a vessel    documented vessel: ‘‘Any vessel of at least five net   removing language mandating that we require
                                                     must be abandoned. Commercial fishing is the most       tons which engages in the fisheries on the navigable   survival craft on all CFVs to protect occupants
                                                     hazardous occupation in the United States               waters of the United States or in the Exclusive        against immersion in water. The survival craft
                                                     according to the Department of Labor’s Bureau of        Economic Zone, or coastwise trade, unless exempt       provisions of 46 U.S.C. 4502 were unaffected and
                                                     Labor Statistics . . .’’.                               under § 67.9(c), must have a Certificate of            therefore those provisions continue to apply to
                                                        4 Department of Homeland Security Delegation         Documentation bearing a valid endorsement              subpart C survival craft. The 2015 legislation will
                                                     No. 0170.1, para. II, (92.b).                           appropriate for the activity in which engaged.’’       be addressed in a future rulemaking.



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                                                     40440                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     exemption for CFVs built after July 1,                     The 10-year discounted present value                advance notice of proposed rulemaking
                                                     2013.                                                   cost to industry of this proposed rule is              (ANPRM) in 2008.8
                                                        Classing of vessels. Until the CGAA                  an estimated $240.3 million based on a                   • This proposal to implement 2010
                                                     was enacted, a fish processor had to                    7 percent discount rate and $285.7                     and 2012 statutory mandates. The
                                                     meet all survey and classification                      million based on a 3 percent discount                  proposed rule is the first Federal
                                                     requirements prescribed by the                          rate. The annualized cost to industry is               Register publication issued in
                                                     American Bureau of Shipping or                          estimated at $34.2 million at the 7                    connection with the RIN 1625–AB85
                                                     another organization approved by the                    percent and $33.5 million at the 3                     rulemaking.
                                                     Coast Guard, if it was built or converted               percent discount rate. The cost of third-                The basis of this proposed rule is the
                                                     after July 27, 1990. The CGAA and the                   party classing of vessels makes up the                 CGAA, as amended by the CGMTA.
                                                     CGMTA extended this requirement to                      majority of the total industry costs.                  Both acts amended several provisions
                                                     any subpart C CFV of 50 feet or more                                                                           pertaining to CFVs that were first
                                                                                                                We anticipate that the government
                                                     overall in length and built after July 1,                                                                      enacted as part of the Commercial
                                                                                                             will incur labor and travel costs to
                                                     2013.7 This rule proposes to amend                                                                             Fishing Industry Vessel Safety Act of
                                                                                                             conduct dockside CFV safety exams. We
                                                     Coast Guard regulations to incorporate                                                                         1988 and codified in 46 U.S.C., chapter
                                                                                                             estimate the total present value cost to
                                                     the 2010 and 2012 vessel classing                                                                              45.9 We discuss specific CGAA and
                                                                                                             government over the 10-year period of
                                                     requirements.                                                                                                  CGMTA mandates and how they are
                                                                                                             analysis to be $38.2 million discounted
                                                        Termination of unsafe operations.                                                                           implemented in the proposed rule in
                                                                                                             at 7 percent, and $46.4 million
                                                     This rule proposes to amend Coast                                                                              Part VI of this preamble.
                                                                                                             discounted at 3 percent. Annualized                      The purpose of this proposed rule is
                                                     Guard regulations so they reflect the                   government costs are about $5.4 million                to implement those CGAA and CGMTA
                                                     broader CGAA authority to terminate a                   under both 7 percent and 3 percent                     mandates that pertain to CFVs, that
                                                     CFV’s operations if the Coast Guard                     discount rates.                                        became effective upon enactment of the
                                                     observes it operating under unsafe                         We estimate the combined total 10-                  CGAA in 2010 and the CGMTA in 2012,
                                                     conditions, or if the CFV lacks required                year present value cost of the                         and that can be incorporated in Coast
                                                     documentation like a certificate of                     rulemaking to industry and government                  Guard CFV regulations without the
                                                     having passed a dockside examination.                   at $278.5 million, discounted at 7                     exercise of any Coast Guard discretion.
                                                        Miscellaneous equipment. This rule                   percent, and $332.1 million, discounted                In many cases, the new mandates
                                                     proposes to amend Coast Guard                           at 3 percent. The combined annualized                  significantly change previous statutory
                                                     regulations for subpart C vessels to                    costs to industry and government are                   requirements for CFVs. Current Coast
                                                     include CGAA requirements for marine                    $39.7 million at 7 percent and $38.9                   Guard CFV regulations in 46 CFR part
                                                     radios, navigation equipment, medical                   million at 3 percent. The expected                     28 align with the previous statutory
                                                     supplies, and ground tackle.                            annual effect on the economy of the                    requirements but not with the new
                                                        Regulatory costs and benefits. Based                 proposed rule would not exceed $100                    mandates. This results in confusion for
                                                     on Marine Information for Safety and                    million in the first or any subsequent                 the regulated public. This proposed rule
                                                     Law Enforcement (MISLE) data, there                     year of implementation.                                would align our regulations with the
                                                     are approximately 75,083 existing
                                                                                                                The proposed rule is intended to                    CGAA and CGMTA mandates. It does
                                                     commercial fishing vessels that would
                                                                                                             reduce the risk of future fishing vessel               not reflect any provision of the Coast
                                                     be potentially affected by this proposed
                                                                                                             casualties, and if a casualty occurs, to               Guard Authorization Act of 2015. That
                                                     rulemaking. This rule proposes new
                                                                                                             minimize the adverse impacts to crew                   Act will be the subject of future Coast
                                                     requirements for vessels that are
                                                                                                             and enable them to have the maximum                    Guard regulatory action.
                                                     expected to operate beyond three
                                                     nautical miles from the baseline from                   opportunity to survive and to be                       V. Discussion of Comments on 2008
                                                     which the territorial sea is measured                   rescued. The primary benefits resulting                ANPRM
                                                     and the coastline of the Great Lakes.                   from increased safety include
                                                                                                             reductions in the risk of fatalities,                     In response to our 2008 ANPRM, we
                                                     Coast Guard subject matter experts                                                                             heard from 43 public commenters, 9 of
                                                     estimate that 36,115 of those 75,083                    property loss, and environmental
                                                                                                             damage that can be caused by lost and                  whom spoke at the public meetings held
                                                     existing commercial fishing vessels                                                                            in Seattle, WA in November 2008.
                                                     operate beyond the three nautical miles                 damaged commercial fishing vessels.
                                                                                                             The estimate of annualized quantified                  Several commenters made multiple
                                                     threshold, and are affected by this                                                                            submissions to the docket. Twelve of
                                                     rulemaking. Of the 36,115 vessels that                  benefits ranges between $7.1 and $9.4
                                                                                                             million, with a primary estimate of                    the commenters identified their primary
                                                     operate beyond the three nautical mile                                                                         affiliation as the commercial fishing
                                                     threshold, 17,237 are documented                        monetized annualized benefits of $7.1
                                                                                                             million at a 7 percent discount rate. We               industry; ten were naval architects,
                                                     fishing vessels and 18,878 are                                                                                 engineers, or consultants; seven were
                                                     undocumented fishing vessels.                           did not estimate monetized benefits for
                                                                                                             several requirements, including                        affiliated with safety activity (generally
                                                                                                             recordkeeping for equipment                            trainers or examiners); four were
                                                        7 Sec. 318(a) of the Coast Guard Authorization Act
                                                                                                             maintenance and classing certain newly                 affiliated with Federal or State
                                                     of 2015, Pub. L. 114–120, changed the applicability
                                                     of classing requirements for CFVs. The 2010 and         built vessels.                                         government; four were equipment
                                                     2012 legislation extended the classing requirement                                                             manufacturers or service companies;
                                                     to CFVs of 50 feet or more overall in length and        IV. Background, Basis, and Purpose                     three were individual fishermen; one
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                                                     built after July 1, 2013. The 2015 Act exempts from                                                            commented on behalf of the Commercial
                                                     that requirement CFVs of at least 50 and not more         This is one of two Coast Guard
                                                     than 79 feet overall in length, and built after Feb.    publications that appear in today’s                    Fishing Industry Vessel Safety Advisory
                                                     8, 2016, provided their construction is overseen by     Federal Register and involve                           Committee (CFIVSAC; renamed
                                                     a State-licensed naval architect or marine engineer,
                                                                                                             uninspected CFVs:                                      ‘‘Commercial Fishing Safety Advisory
                                                     and their design ‘‘incorporates standards equivalent                                                           Committee’’ by the CGAA); one
                                                     to those prescribed by a classification society . . .     • A separate document announcing                     commented on behalf of the Coast
                                                     or another qualified organization. . . .’’ This         our withdrawal of a rulemaking (RIN
                                                     NPRM does not incorporate any of the 2015
                                                     provisions, which must be reflected in our
                                                                                                             1625–AA77) that we began prior to                        8 73   FR 16815 (Mar. 31, 2008).
                                                     regulations through future regulatory action.           2010, and for which we issued an                         9 Pub.  L. 100–424, 102 Stat. 1585 (Sept. 9, 1988).



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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                 40441

                                                     Guard-sponsored Task Force for                            The ANPRM posed 30 questions for                     most commenters discussed themes
                                                     Implementation of the Global Mariner                    public comment, as shown in Table 1.                   related to those questions. Our
                                                     Distress and Safety System; and one did                 Only a few commenters responded                        discussion groups all comments by
                                                     not identify any affiliation.                           specifically to individual questions, but              theme.

                                                                                                   TABLE 1—ANPRM QUESTIONS AND RELATED THEMES
                                                                                                             Question                                                                         Theme

                                                     1. Given the statistics on vessel losses in Tables 2 and 3 (of the ANPRM), what issues related to stability               Stability and watertight integrity
                                                       and watertight integrity should the Coast Guard consider addressing in regulations?                                       (SWI).
                                                     2. Table 2 (of the ANPRM) shows that vessel flooding results in the most vessel losses, and Table 3 (of                   Stability and watertight integrity.
                                                       the ANPRM) shows that flooding and sinking account for a significant portion of fatalities. What areas
                                                       should be addressed to reduce vessel flooding losses and fatalities?
                                                     3. What routine measures are used to prevent unintentional flooding?                                                      Stability and watertight integrity.
                                                     4. How often is your vessel examined by a marine surveyor and under what circumstances? Is docu-                          Risk awareness and minimization.
                                                       mentation of the survey provided?
                                                     5. Table 3 (of the ANPRM) shows that fire is a significant cause of vessel losses. What areas should the                  Causes of loss other than SWI.
                                                       Coast Guard consider addressing to reduce the number of fire-related vessel losses (including, but not
                                                       limited to: Construction standards, detection and extinguishing equipment, firefighting equipment, and
                                                       firefighting training)?
                                                     6. What means are used to limit the danger of fires and the consequence of fires?                                         Causes of loss other than SWI.
                                                     7. Table 2 (of the ANPRM) shows that a significant number of vessel losses are related to allisions, colli-               Causes of loss other than SWI.
                                                       sions, and groundings; how should the Coast Guard address these causes of vessel losses?
                                                     8. What impact has safety training had in improving safety within the commercial fishing industry? Do you                 Instruction and drill requirements.
                                                       have recommendations concerning safety training?
                                                     9. What impact have crew drills had in improving safety within the commercial fishing industry? Do you                    Instruction and drill requirements.
                                                       have recommendations concerning crew drills?
                                                     10. If training were required, would it be accomplished during off-season times?                                          Instruction and drill requirements.
                                                     11. How would additional training impact one’s ability to fish?                                                           Instruction and drill requirements.
                                                     12. If stability standards for vessels between 50 feet and 79 feet in length are considered, what standards               Stability and watertight integrity.
                                                       should apply, and to which vessels should the standards apply?
                                                     13. How does a crew become experienced in safety procedures?                                                              Instruction and drill requirements.
                                                     14. Should entry level crewmembers be expected to have a minimum level of familiarity with safety proce-                  Instruction and drill requirements.
                                                       dures?
                                                     15. How and when is stability guidance used? If stability guidance is available but not used, please ex-                  Instruction and drill requirements.
                                                       plain why.
                                                     16. How are operating personnel made aware of stability and watertight integrity guidance?                                Instruction and drill requirements.
                                                     17. How often should stability guidance be reviewed, updated, or validated?                                               Instruction and drill requirements.
                                                     18. How are modifications to a vessel or its gear accounted for relative to the vessel’s maximum load, wa-                Stability and watertight integrity.
                                                       tertight integrity, and other stability considerations?
                                                     19. How adequate are current requirements for personal protection and survival equipment?                                 Safety and survival equipment.
                                                     20. How do crew members become familiar with vessel safety?                                                               Safety and survival equipment.
                                                     21. How are safety risks aboard your vessel(s) identified and minimized?                                                  Risk awareness and minimization.
                                                     22. If you are a small business, what economic impact on you, your business, or your organization would                   Regulatory costs and benefits.
                                                       the rules we are considering have? In your comments please explain why, how, and to what degree
                                                       such rules would have an economic impact.
                                                     23. Have you experienced—or are you aware of—any situations where any of the measures under consid-                       Regulatory costs and benefits.
                                                       eration saved lives, or prevented/reduced harm/damage to vessels?
                                                     24. Are there areas not addressed that would benefit safety within the commercial fishing industry?                       Miscellaneous.
                                                     25. What are the costs of each requirement we are considering? Are there comparable alternative solu-                     Regulatory costs and benefits.
                                                       tions to each requirement under consideration that may be more cost effective?
                                                     26. What are the direct and indirect costs of each requirement we are considering? For example, labor                     Regulatory costs and benefits.
                                                       costs, training costs, and hourly wages of fishermen (or alternative measures of valuing their time if they
                                                       are not salaried)? The costs of vessel losses, including equipment, lost catches, and any other oppor-
                                                       tunity costs?
                                                     27. Can any of the requirements we are considering be completed off-season? If so, which ones? For                        Regulatory costs and benefits.
                                                       those that cannot, how much time would be taken away from productive fishing time to complete the re-
                                                       quirement? How would this affect revenue, i.e., fish catches?
                                                     28. What would be the impact on the domestic fishing industry, if any, of each requirement we are consid-                 Regulatory costs and benefits.
                                                       ering? Would there be a differential impact by size of vessel or region?
                                                     29. What would be the economic impact of each requirement we are considering on States, local, and trib-                  Regulatory costs and benefits.
                                                       al governments?
                                                     30. What other requirements, if any, should the Coast Guard be considering?                                               Miscellaneous.
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                                                     A. Stability and Watertight Integrity
                                                     Questions
                                                       Table 2 shows the ANPRM’s five
                                                     questions relating to a vessel’s stability
                                                     and watertight integrity (SWI).




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                                                     40442                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                                                     TABLE 2—ANPRM QUESTIONS ON STABILITY AND WATERTIGHT INTEGRITY
                                                     1. Given the statistics on vessel losses in Tables 2 and 3 (of the ANPRM), what issues related to SWI should the Coast Guard consider ad-
                                                       dressing in regulations?
                                                     2. Table 2 (of the ANPRM) shows that vessel flooding results in the most vessel losses, and Table 3 (of the ANPRM) shows that flooding and
                                                       sinking account for a significant portion of fatalities. What areas should be addressed to reduce vessel flooding losses and fatalities?
                                                     3. What routine measures are used to prevent unintentional flooding?
                                                     12. If stability standards for vessels between 50 feet and 79 feet in length are considered, what standards should apply, and to which vessels
                                                       should the standards apply?
                                                     18. How are modifications to a vessel or its gear accounted for relative to the vessel’s maximum load, watertight integrity, and other stability
                                                       considerations?



                                                        Twenty-three commenters responded                    measures and may take action in a                      assessments or training in small, remote
                                                     to these questions.                                     separate future rulemaking.                            fishing villages. Three commenters said
                                                        New SWI measures. Eight commenters                      SWI information. Five commenters                    we should take the needs and
                                                     said additional high water alarm                        provided or offered to provide                         conditions of specific fisheries into
                                                     requirements are needed, while two                      information on routine measures to                     account.
                                                     others said they were not. Six                          prevent unintentional flooding. Five                      As previously noted, the scope of this
                                                     commenters addressed the adequacy of                    commenters provided or offered to                      rule is limited to proposing to
                                                     existing SWI regulatory measures, with                  provide detailed information for                       implement the CGAA and CGMTA-
                                                     three calling them inadequate, two                      developing new regulations. Three                      mandated recreational vessel
                                                     saying better training and enforcement                  commenters said it is difficult to                     construction requirements for certain
                                                     is needed, and one saying SWI                           account for the impact of vessel                       CFVs. Therefore at this time we are
                                                     documentation requirements need                         modifications on vessel stability. Two                 taking no action on SWI, but should we
                                                     strengthening. Five commenters said we                  commenters cited the importance of                     do so in the future, we would invite
                                                     should require stability training. Four                 regular vessel maintenance and                         public comment on the validity of the
                                                     commenters asked us to issue additional                 inspection for SWI. Two commenters
                                                                                                                                                                    cost and logistical concerns raised by
                                                     SWI regulations and extend SWI                          said fatigue and fishing season
                                                                                                                                                                    commenters on the ANPRM, and on
                                                     regulations to smaller vessels. Three                   limitations contribute to flooding losses
                                                                                                                                                                    how best to address those concerns.
                                                     commenters asked us to require periodic                 and deaths. One commenter said
                                                     stability reassessment. One commenter                   stability is not an issue for smaller                     Miscellaneous. In addition, some of
                                                     said watertight enclosures need                         vessels.                                               the 29 commenters who responded to
                                                     additional labeling.                                       We appreciate the information                       Questions 24 and 30, which invited
                                                        We agree that additional high water                  commenters provided and may use it in                  comment on miscellaneous issues,
                                                     alarm protection, better SWI training                   developing future regulatory proposals.                raised SWI points in those responses.
                                                     and documentation, and stability                        We agree on the difficulty of assessing                Three commenters discussed ways of
                                                     assessment and periodic reassessment                    changes in a vessel’s stability, and on                reducing flooding risk, including bilge
                                                     would all contribute to reducing the risk               the importance of regular SWI                          and open-door alarms and regular hull
                                                     of SWI-related CFV casualties. It is                    inspection and maintenance. We                         examinations. One commenter said we
                                                     unclear to us whether the labeling of                   acknowledge the SWI risks posed by                     should revise freeing port requirements
                                                     watertight enclosures requires                          fatigue and fishing season factors, but                to align with international standards.
                                                     additional regulatory attention and we                  point out that we lack regulatory                      We agree that all these ideas could be
                                                     ask for public comment on that topic.                   authority over either issue. We agree                  worthy of consideration for future
                                                     With respect to SWI and as we discuss                   that smaller CFVs may not be prone to                  regulatory action, but since none is the
                                                     in the next section of this preamble, our               the same stability issues that are                     subject of CGAA or CGMTA mandates,
                                                     proposed rule would implement the                       relevant for larger vessels, but this does             they are beyond the scope of this
                                                     statutory mandate for new subpart C                     not mean small vessels are immune to                   proposed rule. Should we take future
                                                     CFVs less than 50 feet overall in length                SWI problems. Our data show that SWI                   regulatory action on SWI, hull
                                                     to meet recreational vessel construction                may be a factor in some small vessel                   examinations, and freeing port
                                                     standards, which include safe loading                   casualties.                                            requirements, we would seek public
                                                     requirements (33 CFR part 183, subpart                     SWI cost and logistics issues. Seven                comment on how best to address those
                                                     C) that help ensure small vessel                        commenters expressed concern over the                  issues.
                                                     stability. The other additional SWI                     cost of new SWI regulations; three                     B. Causes of Loss Other Than SWI
                                                     measures cited by commenters on the                     commenters wondered if there are
                                                     ANPRM are not included in CGAA or                       enough naval architects to conduct                       Table 3 shows the three questions we
                                                     CGMTA mandates, and therefore are                       additional stability assessments; and                  asked in the ANPRM relating to causes
                                                     beyond the scope of this proposed rule.                 another commenter was concerned                        of loss other than stability and
                                                     The Coast Guard is reviewing additional                 about the difficulty of obtaining stability            watertight integrity.

                                                                                      TABLE 3—ANPRM QUESTIONS ON CAUSES OF LOSS OTHER THAN SWI
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                                                     5. Table 3 (of the ANPRM) shows that fire is a significant cause of vessel losses. What areas should the Coast Guard consider addressing to
                                                       reduce the number of fire-related vessel losses (including, but not limited to, construction standards, detection and extinguishing equipment,
                                                       firefighting equipment, and firefighting training)?
                                                     6. What means are used to limit the danger of fires and the consequence of fires?
                                                     7. Table 2 (of the ANPRM) shows that a significant number of vessel losses are related to allisions, collisions, and groundings; how should the
                                                       Coast Guard address these causes of vessel losses?




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                                                                                 Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                           40443

                                                        Eight commenters responded to these                    but may be the subject of future                       raised ‘‘other causes of loss’’ points in
                                                     questions.                                                regulatory action.                                     those responses. Two commenters said
                                                        Risk in general. Among factors cited                      Reducing fire risk. Three commenters                we should pay more attention to
                                                                                                               provided or offered to provide                         preventing or dealing with man-
                                                     as raising risk for CFVs are weather (4
                                                                                                               information about measures used to                     overboard incidents, and one
                                                     commenters) and fatigue (3                                limit fire danger or to control the
                                                     commenters). Among factors cited as                                                                              commenter each cited the quality of
                                                                                                               consequences of fire. We may use that                  weather reports, crew fatigue, structural
                                                     lowering risk for CFVs are training (2                    information in developing future
                                                     commenters), and safety and security                                                                             fire protection, and pre-employment
                                                                                                               regulatory action. Three commenters                    drug testing as factors deserving our
                                                     watchstanders (1 commenter). Two                          specified additional factors, for example
                                                     commenters provided technical                                                                                    regulatory attention. We agree that these
                                                                                                               vessel examinations, that can reduce the               are all factors that can affect CFV safety,
                                                     information that we may use in                            risk of fire; a fourth commenter said
                                                     developing future regulatory action. We                                                                          and we may consider them in the future.
                                                                                                               several factors beyond the control of any
                                                     agree with each of the factors cited as                                                                          None of the factors cited by the
                                                                                                               regulator could lead to fire on smaller
                                                                                                                                                                      commenters is addressed in CGAA or
                                                     raising or lowering CFV risk, and we                      vessels. We agree with all four
                                                                                                                                                                      CGMTA mandates and, therefore, they
                                                     may address them in a future                              commenters. Additional fire risk control
                                                                                                               measures are not included in CGAA or                   are all beyond the limited scope of this
                                                     rulemaking. The legislation mandated
                                                                                                               CGMTA mandates and therefore are                       proposed rule.
                                                     additional training for persons in charge
                                                     of certain CFVs.10 Because that mandate                   beyond the scope of this proposed rule.                C. Risk Awareness and Minimization
                                                     cannot be implemented without the                            Miscellaneous. In addition, some of
                                                     exercise of the Coast Guard’s discretion,                 the 29 commenters who responded to                       Table 4 shows the two questions we
                                                     it is not reflected in this proposed rule                 Questions 24 and 30, which invited                     asked in the ANPRM about risk
                                                                                                               comment on miscellaneous issues,                       awareness and minimization.

                                                                                        TABLE 4—ANPRM QUESTIONS ON RISK AWARENESS AND MINIMIZATION
                                                     4. How often is your vessel examined by a marine surveyor and under what circumstances? Is documentation of the survey provided?
                                                     21. How are safety risks aboard your vessel(s) identified and minimized?



                                                        Twenty commenters responded to                         fully prepared to enforce the dockside                 The Ombudsman evaluates these
                                                     these questions.                                          examination requirement and                            actions annually and rates each agency’s
                                                        Vessel examination. Nine commenters                    appropriately staffed to do so. We                     responsiveness to small businesses. If
                                                     said we should require mandatory                          encourage all CFV owners and operators                 you wish to comment on actions by
                                                     periodic vessel self-examinations                         to conduct their own frequent                          employees of the Coast Guard, call the
                                                     tailored to the needs and conditions of                   examinations of vessel and equipment                   Ombudsman’s office at 1–888–REG–
                                                     specific fisheries, but two other                         condition, and we acknowledge that                     FAIR (1–888–734–3247).
                                                     commenters said that over-zealous Coast                   many already do so, for insurance                         Other risk minimization measures.
                                                     Guard enforcement and unnecessary                         reasons or as a best practice. We                      Two commenters said that vessel
                                                     vessel boardings discourage voluntary                     acknowledge that vessel self-                          owners and operators pass risk
                                                     vessel self-examination. Four                             examination and compliance                             information to their crews. One
                                                     commenters said periodic examinations                     documentation could be subject to fraud                commenter each remarked that risks are
                                                     are already required, usually by                          or error, but point out that fraudulent or             minimized through regular
                                                     insurers. Three commenters said we                        erroneous documentation exposes                        maintenance, drills, and training; that
                                                     should require mandatory Coast Guard                      perpetrators to the civil and criminal                 we should require mandatory crew
                                                     dockside vessel examinations, but two                     penalty provisions of 33 CFR subpart                   training; that we should improve
                                                     other commenters said the Coast Guard                     1.07.                                                  documentation of casualties occurring
                                                     has too few inspectors to conduct such                       We are concerned by any reports of                  while a vessel is traveling to or from
                                                     examinations efficiently, and a third                     impropriety in Coast Guard enforcement                 fishing grounds; and that we should not
                                                     commenter said required vessel self-                      activity, though that is beyond the scope              require vessel safety officers.
                                                     examinations would have little value.                     of this rulemaking. We are committed to                   We agree that keeping crews informed
                                                     Two commenters pointed out that                           effective, but fair, regulatory                        and trained to minimize risk is essential
                                                     documentation of vessel self-                             enforcement. If you believe you have                   for CFV safety. We think some vessels
                                                     examinations could be fraudulent.                         been subject to improper Coast Guard                   may benefit from designating a vessel
                                                        Vessel self-examination is not                         enforcement activity, we encourage you                 safety officer. At this time, we take no
                                                     included in CGAA or CGMTA mandates                        to bring it to the attention of your local             position on whether additional
                                                     and therefore is beyond the scope of this                 Coast Guard office. You should also be                 regulatory action is needed to improve
                                                     proposed rule. However, the proposed                      aware that under 46 CFR 1.03–20 you                    in-transit casualty documentation.
                                                     rule does implement the statutory                         can appeal an inspector’s action to the                Aside from requiring documentation of
                                                     mandate for dockside examination of                       cognizant Coast Guard District                         crew instruction and drills, the risk
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                                                     CFVs subject to 46 CFR part 28, subpart                   Commander. Finally, if you are a small                 minimization measures discussed by the
                                                     C: those that operate beyond 3 nautical                   business you may send comments on                      commenters are not included in CGAA
                                                     miles from the U.S. territorial sea                       Coast Guard regulatory enforcement                     or CGMTA mandates and, therefore, are
                                                     baseline, or with more than 16 persons                    actions to the Small Business and                      beyond the scope of this proposed rule.
                                                     onboard, or that are Aleutian Trade fish                  Agriculture Regulatory Enforcement                        Miscellaneous. In addition, some of
                                                     tender vessels (collectively referred to as               Ombudsman and the Regional Small                       the 29 commenters who responded to
                                                     ‘‘subpart C vessels’’). We believe we are                 Business Regulatory Fairness Boards.                   Questions 24 and 30, which invited

                                                       10 46   U.S.C. 4502(g).



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                                                     40444                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     comment on miscellaneous issues and                     mandatory Coast Guard dockside vessel                  requirements and therefore are beyond
                                                     raised risk awareness and minimization                  examination.                                           the scope of this proposed rule, but the
                                                     points in those responses. Two                             We try to make valuable information                 proposed rule does implement statutory
                                                     commenters asked us to provide more                     and regulatory guidance available to                   requirements for the mandatory
                                                     regulatory guidance, like compliance                    commercial fishermen. Our ‘‘Homeport’’                 dockside examination of certain CFVs.
                                                     checklists, and a third commenter                       Web site, http://homeport.uscg.mil,
                                                     provided sample checklists and                          features a page dedicated to commercial                D. Instruction and Drill Requirements
                                                     maintenance guidelines. Two                             fishing vessels. That page provides
                                                                                                             numerous links to safety information                     Table 5 shows the nine questions our
                                                     commenters said we should conduct
                                                     random dockside safety audits. One                      and related Web sites. Random audits                   ANPRM asked about instruction and
                                                     commenter said we should require                        are not included in CGAA or CGMTA                      drill requirements.

                                                                                    TABLE 5—ANPRM QUESTIONS ON INSTRUCTION AND DRILL REQUIREMENTS
                                                     8. What impact has safety training had in improving safety within the commercial fishing industry? Do you have recommendations concerning
                                                       safety training?
                                                     9. What impact have crew drills had in improving safety within the commercial fishing industry? Do you have recommendations concerning crew
                                                       drills?
                                                     10. If training were required, would it be accomplished during off-season times?
                                                     11. How would additional training impact one’s ability to fish?
                                                     13. How does a crew become experienced in safety procedures?
                                                     14. Should entry-level crewmembers be expected to have a minimum level of familiarity with safety procedures?
                                                     15. How and when is stability guidance used? If stability guidance is available but not used, please explain why.
                                                     16. How are operating personnel made aware of stability and watertight integrity guidance?
                                                     17. How often should stability guidance be reviewed, updated, or validated?



                                                        Twenty-seven commenters                              stability if no vessel blueprints are                  understand, and frequently review
                                                     responded.                                              available. Two commenters said                         stability assessments and guidance. We
                                                        Training on stability and watertight                 stability guidance must be adapted for                 think the difficulty and expense of
                                                     integrity (SWI). Eight commenters said                  the use of smaller vessels. Two                        taking these measures need to be
                                                     that at least some members of a vessel’s                commenters said lightweight surveys                    weighed against the considerable safety
                                                     crew should receive training in SWI.                    are sufficient to ensure stability,                    risk that comes with vessel instability.
                                                     Three commenters said we should adopt                   implying opposition to any requirement                 We also think it is best safety practice
                                                     the Commercial Fishing Industry Vessel                  for incline testing; two other                         to reassess a vessel’s stability not only
                                                     Safety Advisory Committee’s                             commenters said incline testing can be                 after a significant modification, but also
                                                     recommendation for all crew members                     important especially for vessels that are              periodically (for example, every five
                                                     to receive at least some level of stability             particularly susceptible to weight                     years), because a vessel’s stability
                                                     training. Three commenters said they                    changes; a fifth commenter said                        characteristics can change over long
                                                     already provide their crews with                        inspectors might push for unnecessary                  periods of time. Should we take future
                                                     stability training. Two commenters said                 incline tests. Two commenters said                     regulatory action to mandate this
                                                     stability training helps the master                     vessels should be required to document                 practice, we would first submit the
                                                     understand vessel capabilities and                      weight changes continuously. One                       proposed action to the public for
                                                     develop operational guidance for the                    commenter said stability guidance is                   comment.
                                                     crew. One commenter said stability                      useful only if it is easy to understand.                  This rule proposes to implement the
                                                     training for crew members should focus                  Another commenter said concisely                       statutory mandate for new subpart C
                                                     on areas where crew members can assist                  worded stability guidance is easier to                 CFVs of less than 50 feet overall in
                                                     the master in preserving vessel stability.              understand than pictorial displays. One                length to meet recreational vessel
                                                        This proposed rule does not address                  commenter said stability should be                     construction standards, which include
                                                     SWI training. We encourage CFV                          reassessed only as part of the vessel                  safe loading requirements (33 CFR part
                                                     owners and operators to provide SWI                     survey needed to purchase insurance;                   183, subpart B) that help ensure a small
                                                     training for all crew members. Should                   another said reassessment is only                      vessel’s stability. Lightweight surveys
                                                     we take future regulatory action on SWI                 necessary if the vessel is significantly               are often sufficient for stability
                                                     training, we would first submit our                     altered. One commenter said stability                  assessment purposes, but we agree with
                                                     proposed action to the public for                       guidance should be updated whenever a                  the commenters who said incline testing
                                                     comment.                                                vessel spends significant time in a                    is important for a vessel that is
                                                        Vessel-specific stability assessment or              shipyard or dockside. One commenter                    particularly susceptible to weight
                                                     guidance. Five commenters said we                       said the master should be required to                  changes. Continual awareness of how
                                                     should require assessments and                          review stability guidance at least yearly,             changes to a vessel or its equipment can
                                                     reassessments at least every five years,                or prior to every voyage, while another                affect stability is important, and we
                                                                                                             commenter said the master could review                 encourage CFV owners and operators to
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                                                     or under other conditions they
                                                     specified; a sixth commenter said                       stability guidance by using a simple                   document vessel weight changes.
                                                     requiring assessment results to be                      stability checklist.                                      General crew training and drill
                                                     reported would impose an unnecessary                       Vessel stability assessment and                     requirements. Eleven commenters said
                                                     cost. Four commenters said that vessel-                 guidance are not addressed in the CGAA                 we should increase crew training and
                                                     specific stability guidance is logistically             or CGMTA mandates, and thus are                        periodic retraining requirements; seven
                                                     difficult and expensive to provide; a                   beyond the scope of this proposed rule,                commenters said we should require
                                                     fifth commenter specifically cited the                  but we encourage CFV owners and                        periodic retraining; three other
                                                     difficulty of reassessing an older vessel’s             operators to obtain, make sure they                    commenters opposed increased


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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                   40445

                                                     requirements due to costs in time and                   awareness and response to man-                            Miscellaneous. In addition to the nine
                                                     money; another commenter said we                        overboard emergencies in their crew                    ANPRM questions specifically relating
                                                     should exempt experienced fishermen                     training. We are concerned by                          to instruction and drill requirements,
                                                     from additional training requirements;                  comments that charge us with                           Questions 24 and 30 invited comments
                                                     another said additional training only                   inadequate enforcement of existing                     on miscellaneous issues. Some of the 29
                                                     makes work for the Coast Guard; and                     regulations, and we have devoted                       commenters who responded to
                                                     another said crew members should be                     particular attention to planning for                   Questions 24 and 30 used the
                                                     included in the safety training we                      effective enforcement of this proposed                 opportunity to discuss instruction and
                                                     conduct for Coast Guard personnel. Five                 rule.                                                  drill requirements in general terms.
                                                     commenters said entry-level crew                           Logistics of training. Three                        Four commenters suggested additional
                                                     members should have vessel-specific                     commenters said certain training can be                training topics: One each suggesting the
                                                     safety orientation and training; a sixth                conducted in the off season, but that                  use of personal flotation devices (PFDs)
                                                     commenter said this should not be                       other topics need to be addressed just                 to mitigate the risk of falling overboard,
                                                     necessary for a crew member with                        prior to and during vessel operations; a               additional training for rescue swimmers,
                                                     significant recent experience on another                fourth commenter said that the off                     fatigue awareness and endurance, and
                                                     vessel; and a seventh said that                         season is the only effective time for                  damage control. Two commenters said
                                                     orientation—with good leadership from                   training. Two commenters said                          we should provide more information
                                                     the master—helps prepare crews. Five                    providing training in remote coastal                   about operational improvements and
                                                     commenters said crew training should                    areas is logistically difficult. Two                   new products that could enhance safety.
                                                     be documented. Three commenters said                    commenters said we should require                      One commenter said we should improve
                                                     safety planning and drills help prepare                 formal training and periodic retraining                regulatory awareness by mailing the
                                                     crews to deal with emergencies. Three                   for drill instructors. One commenter                   regulations to every vessel owner. One
                                                     commenters said compliance with                         said we should phase in new training                   commenter said we can improve safety
                                                     current training requirements is often                  requirements to ensure a sufficient                    on older vessels that cannot upgrade
                                                     inadequate; while two other                             number of trainers. One commenter said                 safety features, by focusing on training,
                                                     commenters said the Coast Guard does                    fishing vessel operators need to make                  instruction, and regular inspections.
                                                     not adequately enforce those                            time for training and that additional                     None of the additional training topics
                                                     requirements. Two commenters said we                    training would not be unduly                           these commenters suggested is required
                                                     should address fatigue awareness in                     burdensome. One commenter said                         by CGAA or CGMTA mandates, and
                                                     crew training, and a third said crews                   training requirements are complicated                  therefore they are not included in this
                                                     should be trained to deal with man-                     by late changes in crew membership,                    proposed rule. However, we
                                                     overboard emergencies.                                  but another said this complication can                 acknowledge that each topic can be a
                                                                                                             be overcome through onboard training.                  useful part of CFV crew safety training.
                                                        The legislation mandates additional                     The legislation mandates additional                 We try to make valuable CFV safety
                                                     training for the persons in charge of                   training for the persons in charge of                  information available to commercial
                                                     certain CFVs and to document crew                       certain CFVs and to document crew                      fishermen. We have briefed attendees on
                                                     instruction and drills, which will be the               instruction and drills, which will be the              the CGAA/CGMTA mandates at national
                                                     subject of future regulatory action                     subject of future regulatory action                    and regional meetings of associations
                                                     because implementation will require                     because implementation will require                    that represent CFV owners and
                                                     further consideration of the appropriate                further consideration of the appropriate               operators, and our ‘‘Homeport’’ 11 and
                                                     exercise of Coast Guard discretionary                   exercise of Coast Guard discretionary                  ‘‘FishSafe’’ 12 Web sites provide a
                                                     authority. Otherwise, CGAA and                          authority. Otherwise, CGAA and                         summary of the CGAA/CGMTA
                                                     CGMTA mandates do not impose other                      CGMTA mandates do not impose other                     mandates 13 as well as numerous links
                                                     new training requirements, and                          new training requirements, and                         to CFV safety information and related
                                                     therefore the commenter’s                               therefore the commenter’s                              Web sites.14 We will continue to
                                                     recommended changes are beyond the                      recommended changes are beyond the                     provide easily accessible CFV safety
                                                     scope of the proposed rule. Nevertheless                scope of the proposed rule. We                         information, and ample guidance and
                                                     we encourage CFV owners and                             acknowledge the logistical difficulties                publicity to accompany any new
                                                     operators to make sure crews are well-                  involved in providing good training, but               regulations. Our proposed rule and any
                                                     trained. The expense and difficulty of                  we agree that the value of training                    final rule, along with any
                                                     crew training, retraining, and drills                   makes it worth overcoming those                        supplementary materials, will also be
                                                     should be weighed against the safety                    difficulties, and that this often can be               available in several locations on the
                                                     risks to which CFV crews are exposed                    done by balancing off-season training                  Internet, including the Federal Register
                                                     and the safety benefits that frequently                 with onboard training and drills.                      Web site and Regulations.gov. We
                                                     refreshed training and drills can                          Vessel safety and drill officers. Three             believe that improved training,
                                                     provide. We do not agree that CFV                       commenters said we should require                      instruction, and vessel self-examination
                                                     crews need the same training Coast                      onboard drill conductors. Three
                                                     Guard personnel receive—our training                    commenters discussed whether a                            11 See https://homeport.uscg.mil/mycg/portal/ep/
                                                     is designed to meet the needs of our                    ‘‘vessel safety officer’’ should be                    home.do.
                                                     service—but we think even experienced                   mandatory, with two opposing the                          12 See http://www.fishsafe.info/.
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                                                     fishermen can benefit from additional                   position because it could interfere with                  13 See http://www.fishsafe.info/Update%20on

                                                     training, especially when that training is              the master’s authority, and the third                  %20CFVS%20Requirements%20-%201Mar
                                                                                                                                                                    2013.pdf.
                                                     specific to a vessel’s unique structural,               disputing that idea and supporting the                    14 For example, information on updated dockside
                                                     equipment, and operational                              position. We think some CFVs can                       safety examination requirements appears at http://
                                                     characteristics, and that new crew                      benefit from having designated onboard                 www.fishsafe.info/Update%20on%20CFVS%20
                                                     members should receive a vessel-                        drill conductors and vessel safety                     Requirements%20-%201Mar2013.pdf. An alert on
                                                                                                                                                                    overloaded CFV lifting gear appears at http://www.
                                                     specific safety orientation as soon as                  officers, but neither is required by                   fishsafe.info/MSA02-12.pdf, and a dockside safety
                                                     they come aboard. We encourage CFV                      CGAA or CGMTA mandates nor                             examination request form appears at http://www.
                                                     owners and operators to include fatigue                 required by this proposed rule.                        fishsafe.info/docksideexamrequest.htm.



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                                                     40446                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     are of value to all vessels, and that this              E. Safety and Survival Equipment
                                                     may be particularly true for older                        Table 6 shows the two questions the
                                                     vessels.                                                ANPRM asked about safety and survival
                                                                                                             equipment.

                                                                                       TABLE 6—ANPRM QUESTIONS ON SAFETY AND SURVIVAL EQUIPMENT
                                                     19. How adequate are current requirements for personal protection and survival equipment?
                                                     20. How do crew members become familiar with vessel safety and survival equipment?



                                                        Twenty-four commenters responded                     mandate for survival craft to protect                  requirements could be
                                                     to these questions.                                     occupants from immersion in water. We                  counterproductive for smaller vessels.
                                                        Equipment in general. Five                           agree with the comments made by these                  We agree that, in addition to the existing
                                                     commenters said old equipment needs                     commenters and may address the issues                  46 CFR 28.395 embarkation station
                                                     to be replaced and equipment lifespan                   they raise in future regulatory action.                requirements for certain CFVs, new
                                                     guidelines should be set for specific                      Emergency communications and                        vessel-appropriate embarkation station
                                                     items. Four commenters said crew                        lighting. Five commenters said we                      requirements may improve CFV safety,
                                                     members become familiar with safety                     should require emergency position                      and we may consider such requirements
                                                     and survival equipment through proper                   indicating radio beacon (EPIRB)                        for future regulatory action, but because
                                                     training and frequent drills. Four                      registration. Two commenters said                      they are not addressed by CGAA or
                                                     commenters said we should exempt                        current emergency lighting regulations                 CGMTA mandates, they are not
                                                     fisheries and types of vessels of interest              are inadequate. One commenter asked                    included in this proposed rule.
                                                     to those commenters. Three commenters                   us to update all emergency
                                                     said we should allow properly labeled                   communication requirements. One                          Miscellaneous. In addition, some of
                                                     outdated equipment to be used for                       commenter noted that EPIRBs and other                  the 29 commenters who responded to
                                                     training. Two commenters said better                    distress signals are often inaccessible in             Questions 24 and 30, which invited
                                                     protection is needed to prevent man-                    emergencies. We agree that EPIRBs                      comment on miscellaneous issues,
                                                     overboard incidents. One commenter                      should be registered, as is required by                raised safety and survival equipment
                                                     each said equipment requirements for                    Federal Communications Commission                      points in those responses. Three
                                                     larger CFVs should apply to all CFVs;                   regulations in 47 CFR 80.1061(e) and (f).              commenters said we should require
                                                     that we should develop an equipment                     CFV safety could benefit from                          PFDs to be worn in rough weather. Two
                                                     recall program; and that emergency                      examining the issues raised by all these               commenters said the Coast Guard
                                                     equipment is often improperly installed                 commenters and we may do so in future                  should work with cell phone companies
                                                     and maintained.                                         regulatory action, but because none of                 to provide better coverage on fishing
                                                        The legislation mandates additional                  those issues is addressed by CGAA or                   grounds; another commenter cited the
                                                     training for the persons in charge of                   CGMTA mandates, they are beyond the                    value of the Coast Guard’s Rescue 21
                                                     certain CFVs, and to document crew                      scope of the proposed rule.                            project in improving radio coverage.
                                                     instruction and drills, which will be the                  Immersion suits and personal                        One commenter generally opposed
                                                     subject of future regulatory action                     flotation devices. Four commenters said                current emergency power source
                                                     because implementation will require                     we should require immersion suits to be                requirements; another commenter
                                                     further consideration of the appropriate                carried in seasonally cold waters, and                 generally favored adoption of a
                                                     exercise of Coast Guard discretionary                   three other commenters noted that                      recognized industry standard for such
                                                     authority. Otherwise, CGAA and                          hypothermia is possible even in warm                   requirements. One commenter each said
                                                     CGMTA mandates do not impose other                      waters. Four commenters said we                        we should require the use of protective
                                                     new training requirements, and                          should require revised immersion suit                  equipment under hazardous conditions,
                                                     therefore the commenter’s                               labeling because ‘‘universal’’ suits do                require vessels to carry damage control
                                                     recommended changes are beyond the                      not fit many crew members. One                         kits, require immersion suits to be fitted
                                                     scope of the proposed rule. However,                    commenter asked us to require PFDs or                  with strobe lights, regulate boarding
                                                     CFV safety could benefit from                           other protective gear to be worn in                    ladder locations, and regulate the safety
                                                     examining these issues and we may do                    rough weather. We agree with the points                of vessel front windows.
                                                     so in future regulatory action.                         made by these commenters and may
                                                        Survival craft.15 Five commenters                                                                             CFV safety could benefit from
                                                                                                             address them in future regulatory
                                                     said survival craft often cannot be                     action, but because they are not                       examining the issues raised by all these
                                                     launched by one person. Five other                      addressed by CGAA or CGMTA                             commenters and we may do so in future
                                                     commenters said the location of survival                mandates, they are not included in this                regulatory action, but because none of
                                                     craft can be problematic, especially for                proposed rule.                                         those issues is addressed by CGAA or
                                                     smaller vessels, and can interfere with                    Embarkation stations. Three                         CGMTA mandates, they are not
                                                     normal operations. One commenter said                   commenters asked us to modify                          included in this proposed rule.
                                                     current survival craft may not be                       embarkation station requirements based                 F. Regulatory Costs and Benefits
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                                                     properly designed or equipped. One                      on vessel size. One other commenter
                                                     commenter said we should update                         said we should develop new                               Table 7 shows the seven questions our
                                                     survival craft requirements, and this                   requirements for embarkation stations,                 ANPRM asked about regulatory costs
                                                     proposed rule implements the statutory                  but another commenter noted that such                  and benefits.

                                                       15 The Coast Guard Authorization Act of 2015,         survival craft on all CFVs to protect occupants        therefore those provisions continue to apply to
                                                     Public Law 114–120, amended 46 U.S.C. 3104 by           against immersion in water. The survival craft         subpart C survival craft. The new legislation will be
                                                     removing language mandating that we require             provisions of 46 U.S.C. 4502 were unaffected and       addressed in a future rulemaking.



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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                           40447

                                                                                       TABLE 7—ANPRM QUESTIONS ON REGULATORY COSTS AND BENEFITS
                                                     22. If you are a small business, what economic impact on you, your business, or your organization would the rules we are considering have? In
                                                       your comments please explain why, how, and to what degree such rules would have an economic impact.
                                                     23. Have you experienced—or are you aware of—any situations where any of the measures under consideration saved lives, or prevented/re-
                                                       duced harm/damage to vessels?
                                                     25. What are the costs of each requirement we are considering? Are there comparable alternative solutions to each requirement under consid-
                                                       eration that may be more cost effective?
                                                     26. What are the direct and indirect costs of each requirement we are considering? For example, labor costs, training costs, and hourly wages
                                                       of fishermen (or alternative measures of valuing their time if they are not salaried)? The costs of vessel losses, including equipment, lost
                                                       catches, and any other opportunity costs?
                                                     27. Can any of the requirements we are considering be completed off-season? If so, which ones? For those that cannot, how much time would
                                                       be taken away from productive fishing time to complete the requirement? How would this affect revenue, i.e., fish catches?
                                                     28. What would be the impact on the domestic fishing industry, if any, of each requirement we are considering? Would there be a differential
                                                       impact by size of vessel or region?
                                                     29. What would be the economic impact of each requirement we are considering on States, local, and tribal governments?



                                                        Twenty commenters responded.                         these commenters and will consider                     specific regulatory measures discussed
                                                        General impact. Seven commenters                     their suggestions for mitigating cost                  in the ANPRM: stability (3 commenters),
                                                     commented on the likely expense of                      impacts in taking any future regulatory                documentation (2 commenters), training
                                                     taking regulatory action to implement                   action. This proposed rule is limited to               (1 commenter), and boarding ladders
                                                     ideas discussed in the ANPRM, with                      implementing CGAA and CGMTA                            and embarkation stations (1
                                                     five commenters saying the cost impact                  mandates, as we are required by law to                 commenter). Five commenters cited
                                                     would be significant and adverse, and                   do, and because of the limited scope of                specific regulatory measures that would
                                                     two others saying the impact would                      those mandates, the cost impact of this                benefit CFV safety: improved
                                                     vary depending on fishery and vessel                    proposed rule is less than it would be                 instruction and drill (2 commenters);
                                                     size. Seven commenters cited ways in                    if we were to proceed with all the                     new regulations in general (1
                                                     which we might mitigate regulatory                      regulatory actions we discussed in the                 commenter); new instruction and drill,
                                                     costs for the CFV industry: two saying                  ANPRM.                                                 vessel maintenance, immersion suit,
                                                     we should focus on fishery-specific                        Small business impact. Two                          and EPIRB regulations (1 commenter);
                                                     regulations; one each saying we should                  commenters said new regulations would                  regular high water alarm tests, crew
                                                     avoid imposing new regulations and                      likely have a significant adverse                      debriefings after emergency drills, and
                                                     instead improve CFV safety through                      economic impact on small businesses.                   crew discussions of incidents involving
                                                     online instruction, improved weather                    One commenter said new regulations                     other vessels (1 commenter). Four
                                                     forecasting, and better Coast Guard                     would be an incentive for small                        commenters provided cost information
                                                     cooperation with industry; that we                      business operators to spend less time                  for stability analysis and
                                                     should let insurance companies take the                 fishing and more time working in safety                documentation.
                                                     lead in requiring new safety measures;                  related work. One commenter provided
                                                     that we should provide grants to help                   or can provide detailed small business                    We agree that all the measures cited
                                                     CFV operators finance new safety                        economic information. We agree that                    by these commenters could benefit CFV
                                                     measures; that we should phase in the                   new congressionally mandated                           safety and we may consider them for
                                                     implementation of costly measures; and                  regulations may have an adverse                        future regulatory action, in which case
                                                     that we should increase reliance on                     economic impact on small businesses.                   we may use the cost information some
                                                     alternative compliance programs. Two                    We will be mindful of the impacts on                   commenters provided. The CGAA and
                                                     commenters provided general cost                        small businesses in any future                         CGMTA mandates require persons in
                                                     information, one saying it costs almost                 regulatory action. As we have                          charge of certain CFVs to receive
                                                     $1,000 per year to provide safety                       previously explained, this proposed rule               training (including stability training)
                                                     equipment for vessels operating outside                 is limited to implementing CGAA and                    and require documentation of crew
                                                     the Boundary Line, and the other saying                 CGMTA mandates without the exercise                    instruction and drills, but otherwise
                                                     that the annual per person direct cost of               of Coast Guard discretion. Because of                  they do not address the regulatory
                                                     safety training is no more than $225 per                the more limited scope of those                        measures cited by these commenters,
                                                     day, sometimes $100 per day or less.                    mandates, the cost impact on small                     and therefore they are not included in
                                                        The Coast Guard has no statutory role                businesses of this proposed rule would                 this proposed rule.
                                                     in the accurate development or                          be less than it would be if we were to                 G. Miscellaneous Issues
                                                     distribution of the weather forecasts                   proceed with all the regulatory actions
                                                     available to the CFV community.                         we discussed in the ANPRM.                                Table 8 shows the two questions our
                                                     Otherwise, we will be mindful of the                       Specific regulatory measures. Seven                 ANPRM asked about miscellaneous
                                                     cost information and concerns voiced by                 commenters cited the likely high cost of               issues.

                                                                                               TABLE 8—ANPRM QUESTIONS ON MISCELLANEOUS ISSUES
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                                                     24. Are there areas not addressed (in the ANPRM) that would benefit safety within the commercial fishing industry?
                                                     30. What other requirements, if any, should the Coast Guard be considering?



                                                       Twenty-nine commenters responded                        Regulations for subsets of the CFV                   to reflect the special conditions and
                                                     to these questions.                                     industry. Fourteen commenters said that                risks found in certain regions (8
                                                                                                             our CFV regulations should be modified                 commenters), fisheries, or types of



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                                                     40448                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     vessel (6 commenters). In considering                   on International Maritime Organization                 addressed by CGAA or CGMTA
                                                     any future regulatory action, we would                  standards wherever possible (2                         mandates, and therefore all are beyond
                                                     try to accommodate subset-specific                      commenters), use international weight                  the scope of the proposed rule, though
                                                     concerns. This proposed rule is limited                 and measurement standards (1                           we may consider them for future
                                                     to implementing CGAA and CGMTA                          commenter), expand voluntary                           regulatory action.
                                                     mandates that sometimes require                         compliance programs (1 commenter),
                                                                                                                                                                    VI. Discussion of CGAA and CGMTA
                                                     different behavior depending on vessel                  and stop grandfathering older vessels (1
                                                                                                                                                                    Mandates and the Proposed Rule
                                                     size or operating conditions, but which                 commenter). This rule proposes to
                                                     otherwise apply to CFVs regardless of                   implement CGAA and CGMTA                                  The CGAA and CGMTA contain a
                                                     region or fishery.                                      mandates that have been in place for                   variety of marine safety provisions.
                                                        Coast Guard resources and                            several years. However, we will bear the               Many of those provisions amend 1988
                                                     enforcement. Several commenters                         concerns and recommendations voiced                    CFV safety legislation that is codified in
                                                     recommended changes in the way we                       by these commenters in mind in taking                  46 U.S.C. Chapter 45, Uninspected
                                                     allocate resources to CFV safety and                    any further CFV regulatory action. Since               Commercial Fishing Industry Vessels.
                                                     enforce CFV regulations. They suggest                   the passage of the 2010 and 2012                       Coast Guard regulations implementing
                                                     we add enforcement resources (6                         legislation, we have made numerous                     the 1988 legislation were first issued in
                                                     commenters); improve enforcement                        presentations and received input from                  1991 and appear in 46 CFR part 28.16
                                                     efficiency and fairness (6 commenters);                 the public at national and regional                    Statutory civil and criminal penalties
                                                     better enforce existing regulations (2                  commercial fishing industry meetings,                  are provided for violations of Chapter 45
                                                     commenters); focus on approving vessel                  and at the annual meetings of the                      ‘‘or a regulation prescribed under this
                                                     plans and licensing operators (2                        Commercial Fishing Safety Advisory                     chapter.’’ See 46 U.S.C. 4507(a). Coast
                                                     commenters); develop a competitive                      Committee.                                             Guard enforcement procedures are
                                                     grant program to research CFV safety (1                    Specific regulatory measures. Several               described in 33 CFR subpart 1.07. In
                                                     commenter); have an advisory board of                   commenters recommended specific                        addition, vessels that violate part 28
                                                     naval architects (1 commenter); update                  regulatory measures we should take (or                 regulations or that are operating under
                                                     Coast Guard safety guidance (1                          avoid). They said those measures should                unsafe conditions may have their
                                                     commenter); and focus on providing                      focus on compliance documentation (3                   operations restricted or terminated, 46
                                                     safety checklists (1 commenter). We                     commenters), improving fishery                         CFR 28.65, and be subject to other
                                                     may consider these recommendations                      management (2 commenters), permitting                  operational controls ordered by a
                                                     for future action, but none is addressed                the use of larger, foreign built vessels (2            District Commander or Captain of the
                                                     by CGAA or CGMTA mandates and,                          commenters), avoiding trip report                      Port under 33 CFR 160.111.
                                                     therefore, all are beyond the scope of                  requirements (2 commenters), posting                      In many cases the CGAA and CGMTA
                                                     this proposed rule.                                     compliance documentation for crew                      changes either require or permit the
                                                        Though it is beyond the scope of this                scrutiny (1 commenter), redefining                     Coast Guard to amend its CFV
                                                     proposed rule, we are concerned by any                  Boundary Lines to facilitate compliance                regulations. This rule proposes to
                                                     report of unfairness in Coast Guard                     (1 commenter), minimum safety                          implement those statutory mandates
                                                     enforcement activity. We are committed                  construction standards for all new                     that pertain to CFVs, that took effect
                                                     to effective and fair regulatory                        CFVs, reserving safety examination                     upon enactment of the CGAA in October
                                                     enforcement. If you believe you have                    duties for Coast Guard personnel rather                2010 and the CGMTA in December
                                                     been subject to improper Coast Guard                    than marine surveyors (1 commenter),                   2012, and that can be incorporated in
                                                     enforcement activity, we encourage you                  extending documented CFV safety                        Coast Guard CFV regulations without
                                                     to bring it to the attention of your local              equipment requirements to                              the exercise of any Coast Guard
                                                     Coast Guard office. You should also be                  undocumented CFVs (1 commenter),                       discretion. This rule does not propose to
                                                     aware of the ‘‘rights of appeal’’                       avoiding licensing commercial                          apply any new or existing Coast Guard
                                                     provisions contained in our regulations,                fishermen (1 commenter), and confined                  discretionary authority. We are
                                                     in 46 CFR subpart 1.03. Finally, if you                 space entry regulations (1 commenter).                 considering additional regulatory action
                                                     are a small business, you may send                         This rule proposes to implement                     that would implement the Coast Guard’s
                                                     comments on Coast Guard regulatory                      CGAA and CGMTA mandates relating to                    discretionary authority in the CGAA
                                                     enforcement actions to the Small                        compliance documentation, recreational                 and CGMTA and improve the safety of
                                                     Business and Agriculture Regulatory                     vessel construction standards for CFVs                 commercial fishing vessel operation.
                                                     Enforcement Ombudsman and the                           of less than 50 feet overall in length,                Should we take that action, we will first
                                                     Regional Small Business Regulatory                      mandatory dockside examinations for                    solicit public comment.
                                                     Fairness Boards. The Ombudsman                          certain CFVs, and regulatory parity for                   Vessel parity. CGAA section
                                                     evaluates these actions annually and                    both documented and undocumented                       604(a)(2)(A) amends 46 U.S.C.
                                                     rates each agency’s responsiveness to                   CFVs; and it proposes to implement the                 4502(b)(1), which contains special
                                                     small business. If you wish to comment                  statutory substitution of territorial sea              provisions for subpart C CFVs—those
                                                     on actions by employees of the Coast                    baseline references for Boundary Line                  that operate beyond the Boundary Lines
                                                     Guard, call 1–888–REG–FAIR (1–888–                      references. Our rule does not propose to               and with more than 16 individuals on
                                                     734–3247).                                              require trip reports. The Coast Guard                  board, or are fish tender vessels engaged
                                                        Rulemaking protocols. Several                        has no regulatory responsibility for                   in the Aleutian trade.17 Until enactment
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                                                     commenters made recommendations                         fishery management, and lacks the                      of the CGAA, section 4502(b)(1) applied
                                                     about guiding principles and procedures                 authority to license commercial                        only to Federally documented CFVs,18
                                                     that we should keep in mind when                        fishermen or to permit the use of
                                                     engaged in CFV rulemakings. They said                   foreign-built vessels where that use is                  16 A general summary of statutes and regulations

                                                     we should view supporting data with                     prohibited by U.S. law. Neither posting                applicable to CFVs, written for the benefit of the
                                                                                                                                                                    CFV public, appears at http://www.fishsafe.info/
                                                     caution (3 commenters), provide a long                  compliance documentation for crew                      FederalRequirementsCFV2009.pdf.
                                                     public comment period and several                       scrutiny, excluding non-Coast Guard                      17 46 CFR 28.200.
                                                     public meetings in connection with any                  personnel from vessel examination                        18 See 46 CFR 67.7 for what constitutes a

                                                     NPRM (2 commenters), base regulations                   duties, nor confined space entry is                    documented vessel: ‘‘Any vessel of at least five net



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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                    40449

                                                     and not to any of the (typically) smaller                  Substitution of baseline for Boundary               legislation, however, section 309 no
                                                     CFVs that require only State                            Line criteria. Special provisions in 46                longer applies to any CFV.21 In this rule,
                                                     registration. The CGAA removed that                     U.S.C. 4502(b) pertain to the subset of                we propose to amend 46 CFR 28.120
                                                     restriction so that subpart C CFVs now                  CFVs that operate relatively far from                  and 28.130 to give effect to section 604’s
                                                     can be either documented or                             shore, or with more than 16 persons                    non-immersibility provision.
                                                     undocumented.                                           onboard, or that are Aleutian Trade fish                  Records. CGAA section 604(a)(3)
                                                        This rule proposes to implement the                  tender vessels. This subset is subject to              amends 46 U.S.C. 4502(f) to require that
                                                     CGAA by revising the subpart C heading                  special regulatory requirements                        an individual in charge of any subpart
                                                     and §§ 28.200, 28.205, 28.210, 28.215,                  contained in 46 CFR part 28, subpart C.                C vessel keep a record of equipment
                                                     28.225, 28.230, 28.235, 28.240, 28.245,                 Prior to enactment of the CGAA, section                maintenance and required instruction
                                                     28.250, 28.255, 28.260, 28.265, and                     4502(b) defined the relevant distance                  and drills. The rule proposes to amend
                                                     28.270. Generally, the proposed                         from shore as ‘‘beyond the Boundary                    46 CFR 28.200 by requiring these
                                                     revisions eliminate language that                       Line.’’ The location of the Boundary                   records to be kept for three years, the
                                                     reflects the previous exclusion of                      Line varies by distance from the                       maximum retention period ordinarily
                                                     undocumented CFVs from the ‘‘subpart                    coastline around the country.19 CGAA                   required by the Paperwork Reduction
                                                     C CFV’’ category.                                       section 604(a)(2)(B) amends 46 U.S.C.                  Act of 1995.22 We request comments on
                                                        Some existing subpart C regulatory                   4502(b)(1)(A) by replacing the statutory               further specifications for this record
                                                     requirements are the result of prior                    Boundary Line with ‘‘3 nautical miles                  retention requirement.
                                                     Coast Guard discretionary                               from the baseline from which the                          Vessel examinations. CGAA section
                                                     determinations that are necessary for the               territorial sea of the United States is                604(a)(3), as amended by CGMTA
                                                     safety of the documented CFVs to which                  measured or beyond 3 nautical miles                    section 305(a), amends the dockside
                                                     subpart C formerly was restricted. It                   from the coastline of the Great Lakes.’’               safety examination provisions of 46
                                                     may make sense now to extend those                      As defined in 33 CFR 2.20, the                         U.S.C. 4502(f). The 1988 legislation
                                                     same requirements to undocumented                       territorial sea baseline is ‘‘the line                 added section 4502(f), requiring the
                                                     CFVs, but because this proposed rule                    defining the shoreward extent of the                   Coast Guard to examine at least once
                                                     relies exclusively on CGAA and                          territorial sea of the United States drawn             every two years, at dockside, all fish
                                                     CGMTA mandates and not use of Coast                     according to the principles, as                        processing vessels and Aleutian Trade
                                                     Guard discretionary authority, we                       recognized by the United States, of the                fish tenders, and to issue a certificate to
                                                     cannot make that determination at this                  Convention on the Territorial Sea and                  each successfully examined vessel to
                                                     time. Where this is the case, the rule                  the Contiguous Zone . . . and the 1982                 show that it complies with all 46 U.S.C.
                                                     proposes to amend the regulation to                     United Nations Convention on the Law                   Chapter 45 requirements and 46 CFR
                                                     clarify that, at least for now, it would                of the Sea (UNCLOS). . . . Normally,                   part 28 implementing regulations.
                                                     continue to apply only to documented                    the territorial sea baseline is the mean                  Our current dockside examination
                                                     subpart C CFVs.                                         low water line along the coast of the                  program was developed after we issued
                                                        Before the CGAA was enacted, 46                      United States.’’ Generally, navigation                 our 1991 regulations to implement the
                                                     U.S.C. 4502(a) mandated only basic                      charts mark the three-nautical mile                    1988 legislation.23 Our FishSafe Web
                                                     safety equipment for all CFVs. The                      distance (the ‘‘3-mile line’’) from the                site provides CFV owners, operators,
                                                     Coast Guard had discretionary authority                 baseline.                                              and personnel with information about
                                                     to require additional safety equipment,                    This rule proposes to update                        dockside examinations.24 In general,
                                                     but only if a CFV met special conditions                references, in the table to 46 CFR                     examinations check for a vessel’s
                                                     defined elsewhere in section 4502.                      28.110, to the lifesaving devices                      lifesaving equipment, documentation,
                                                     CGAA section 604(a)(1)(A) amends                        required by subpart C. It proposes to                  bridge and engine room equipment, and
                                                     section 4502(a) so that it, too, now gives              replace ‘‘Boundary Line’’ with ‘‘3-mile                other miscellaneous required items. In
                                                     the Coast Guard discretionary authority                 line’’ references.                                     addition to providing examinations for
                                                     to require additional equipment on any                                                                         the fish processors and Aleutian Trade
                                                                                                                Survival craft. In two separate
                                                     CFV, if we determine that ‘‘a risk of                                                                          fish tenders that the 1988 legislation
                                                                                                             provisions, the CGAA provided that a
                                                     serious injury exists that can be                                                                              required them to, we encouraged other
                                                                                                             survival craft must ensure ‘‘that no part
                                                     eliminated or mitigated by that                                                                                CFV owners and operators to obtain
                                                                                                             of a person is immersed in water’’
                                                     equipment.’’ Because such a                                                                                    dockside examinations voluntarily.
                                                                                                             (‘‘non-immersibility’’). The first
                                                     determination would exercise our                                                                               Whether mandatory or voluntary, we
                                                                                                             provision, CGAA section 604(a)(2)(C),
                                                     discretionary authority, it is beyond the               amended 46 U.S.C. 4502(b)(2)(B) to
                                                     scope of this proposed rule, which is                                                                          granted that authorization to any CFV to which the
                                                                                                             require non-immersible craft on subpart                non-immersibility requirements applied.
                                                     limited to implementing CGAA and                        C CFVs. Second, section 609 had added                     21 The Coast Guard Authorization Act of 2015,
                                                     CGMTA mandates. We may exercise                         46 U.S.C. 3104 to require non-                         Pub. L. 114–120, amended 46 U.S.C. 3104 by
                                                     that discretion in future rulemakings. To               immersible craft on any vessel subject to              limiting its applicability to passenger vessels only,
                                                     that end, we request public comment                                                                            thereby removing any CFV from its coverage and
                                                                                                             Coast Guard inspection or regulation,                  leaving only the non-immersibility language of 46
                                                     identifying the types or operational                    including all CFVs.20 As a result of later             U.S.C. 4502(b)(2)(B) in place for subpart C CFVs.
                                                     characteristics of CFVs that are at risk of                                                                    Despite the removal of non-immersion requirements
                                                     serious injury, and identifying                           19 See Coast Guard regulations prescribing those     for non-subpart C vessels, should we find that non-
                                                     equipment that can eliminate or                                                                                immersible survival craft could provide substantial
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                                                                                                             variations at 46 CFR part 7.
                                                                                                                                                                    safety benefits for those vessels, using our
                                                     mitigate that risk and that the Coast                     20 As subsequently amended by sec. 303 of the
                                                                                                                                                                    discretionary regulatory authority we could require
                                                     Guard should require by regulation.                     CGMTA, sec. 609 of the CGAA gave us
                                                                                                             discretionary authority to authorize the continued     them in a separate future regulatory action.
                                                                                                                                                                       22 44 U.S.C. 3501–3520.
                                                                                                             use, until February 26, 2016, of survival craft that
                                                                                                                                                                       23 See Commandant Instruction 16711.13B,
                                                     tons which engages in the fisheries on the navigable    cannot ensure non-immersibility (‘‘older survival
                                                     waters of the United States or in the Exclusive         craft’’), if we approved them under the applicable     ‘‘Implementation of Commercial Fishing Industry
                                                     Economic Zone, or coastwise trade, unless exempt        subpart of 46 CFR part 160 before 2010, and if the     Vessel Regulations,’’ Aug. 17, 1995.
                                                     under § 67.9(c), must have a Certificate of             person in charge of the CFV determined under 46           24 See http://www.fishsafe.info/. Several pages on

                                                     Documentation bearing a valid endorsement               CFR 28.140 that they remain in serviceable             that Web site are referenced in footnotes to this
                                                     appropriate for the activity in which engaged.’’        condition. Between 2010 and February 2016 we           discussion.



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                                                     40450                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     issue a dated Commercial Fishing                        requirement can demonstrate                            requirement, we must first use our
                                                     Vessel Safety Decal to any CFV that                     compliance with the examination                        discretionary authority to determine
                                                     successfully completes its dockside                     requirement by displaying a current,                   how to recognize and give credit for
                                                     examination. The decal indicates that                   valid safety decal, by having a Form                   CFV experience, and develop the
                                                     the dockside examiner has found the                     CG–5587 signed by a Coast Guard                        specific items that training covers,
                                                     CFV to be in compliance with all                        examiner, or by having a signed letter of              within the broad subject areas listed in
                                                     applicable Federal laws, not just 46                    compliance from an accepted third-                     the statute. We intend to do so in a
                                                     U.S.C. Chapter 45 and 46 CFR part 28.                   party organization, such as a marine                   future regulatory action that, likely, will
                                                     Many CFVs benefit from having this                      surveyor, as proof that the vessel has                 propose an amendment to 46 CFR
                                                     decal; if they operate in fisheries                     passed an examination and is compliant                 28.270. In the meantime, and for better
                                                     frequented by endangered or threatened                  with current regulations. Owners and                   clarity, we are making a nonsubstantive
                                                     marine species, they may be required                    operators can contact their local Coast                change to § 28.270, by moving the
                                                     under National Marine Fisheries Service                 Guard Sector, Marine Safety Unit, or                   substance of the ‘‘Note’’ currently
                                                     (NMFS) regulations 25 to have a NMFS-                   Field Office to arrange for an                         appearing at the end of the section, so
                                                     approved observer onboard. NMFS                         examination or to obtain more                          that it now serves as introductory
                                                     regulations 26 prohibit observers from                  information,28 or they can request the                 language at the beginning of the section.
                                                     going or staying onboard any CFV that                   examination online.29                                     Construction standards for smaller
                                                     does not display a valid decal. Thus, by                   Even though CGMTA section 305(a)                    vessels. CGAA section 604(a)(4) adds 46
                                                     2010, dockside examinations were a                      lengthened the interval for mandatory                  U.S.C. 4502(h), which mandates that
                                                     well-developed and familiar feature of                  dockside examinations from two years                   each subpart C CFV less than 50 feet
                                                     our CFV safety program.27                               to five years, we continue to encourage                overall in length and built after January
                                                        Against this backdrop, CGAA section                  all CFV owners and operators to obtain                 1, 2010 must be constructed so as to
                                                     604(a)(3) left the dockside examination                 dockside examinations at least once                    provide a level of safety equivalent to
                                                     requirement of 46 U.S.C. 4502(f)                        every two years, voluntarily, whether or               the level provided by recreational vessel
                                                     unchanged, except to extend the                         not their vessels are subject to the                   standards established under 46 U.S.C.
                                                     requirement to any CFV (including fish                  legislative mandate.                                   4302. Those standards are contained in
                                                     processors and Aleutian Trade fish                         Training. CGAA section 604(a)(4)                    Coast Guard regulations in 33 CFR part
                                                     tenders) subject to section 4502(b) and                 adds 46 U.S.C. 4502(g), which requires                 183, and the Coast Guard regularly uses
                                                     regulated under 46 CFR part 28, subpart                 an individual in charge of a subpart C                 its delegated authority under 46 U.S.C.
                                                     C. We interpret section 604(a)(3) as                    CFV to pass a training program. The                    4305 to exempt manufacturers from
                                                     expressing Congress’s intent for us to                  training program must recognize and                    particular part 183 standards that are
                                                     take the same well-developed and                        give credit for recent CFV experience,                 not essential for safety given a vessel’s
                                                     familiar dockside examination program                   and must cover seamanship, stability,                  specific characteristics. The part 183
                                                     that originally applied to fish processors              collision prevention, navigation, fire-                standards require most recreational
                                                     and Aleutian Trade fish tenders, and                    fighting and prevention, damage                        vessels (including any vessel that would
                                                     apply it to a broader CFV population.                   control, personal survival, emergency                  be suitable for CFV use) to—
                                                     The first examination under the new                     medical care, emergency drills and                        • Observe safe loading requirements;
                                                     provisions were required to take place                  communication, and weather. Section                       • Observe horsepower capacity
                                                     no later than October 15, 2015. Under                   4502(g) mandates that a certificate be                 limits;
                                                     46 U.S.C. 2117, the Coast Guard can                     issued upon successful completion of                      • Provide adequate flotation;
                                                     order the termination of a CFV’s                        the training, and requires refresher                      • Meet safe electrical and fuel system
                                                     operation, if it fails to carry a valid                 training every 5 years. Finally, section               standards (except with respect to
                                                     certificate of compliance to demonstrate                4502(g) requires the Coast Guard to                    outboard motors or other portable
                                                     successful completion of the dockside                   establish an electronic database listing               equipment);
                                                     examination.                                            individuals who have completed the                        • Provide adequate ventilation for
                                                        This proposed rule would add 46 CFR                  training.                                              gasoline engines;
                                                     28.201(a) to incorporate the new subpart                   The proposed rule proposes no action                   • Be equipped with a device to
                                                     C CFV dockside examination                              with respect to section 4502(g), because               prevent the motor being started when
                                                     requirement. Because this proposed                      before we can enforce its training                     the engine is already in gear; and
                                                     rule’s regulatory text would be limited                                                                           • Be equipped with all required
                                                     to the mandatory language of the CGAA                      28 A copy of the dockside examination booklet is    navigation lights.
                                                     and the CGMTA, section 28.201(a)                        given to operators and owners at the time of the          Affected CFVs need not comply with
                                                                                                             examination and can be retained to demonstrate         each specific requirement of part 183.
                                                     provides few details to guide vessel                    regulatory compliance should the vessel
                                                     owners and operators on how to request                  subsequently be boarded by Coast Guard personnel.
                                                                                                                                                                    For example, as commercial vessels, we
                                                     examinations. We are considering future                 The booklet includes a list of the specific items to   do not expect them necessarily to carry
                                                     regulatory action to specify a procedure,               be examined. See http://www.uscg.mil/hq/cgcvc/         the weight and horsepower capacity
                                                                                                             cvc3/references/CFVS_Exam_Booklet_CG-5587_             labels that part 183 requires for vessels
                                                     and would first submit any proposed                     Revised_06_08.pdf. At the Coast Guard’s FishSafe
                                                     action to the public for comment. For                   site (http://www.fishsafe.info/), a prominently
                                                                                                                                                                    in solely recreational use. However, we
                                                     now, CFV owners and operators who are                   displayed link to http://www.uscg.mil/d13/cfvs/        do expect that all affected CFVs will be
                                                     subject to the vessel examination                       DocksideExams/vFinal.swf directs CFV personnel         able to demonstrate that they provide a
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                                                                                                             to the Commercial Fishing Vessel Checklist             level of safety that is equivalent to the
                                                                                                             Generator, which helps personnel prepare for a
                                                       25 50 CFR part 222, subpart D.                        dockside exam. In response to answers that
                                                                                                                                                                    level that would be provided if they
                                                       26 50 CFR 600.746 (c), (d).                           personnel supply about their vessel and its            complied with every part 183
                                                       27 Regulations providing for dockside                 operations, the Checklist Generator provides           requirement. This rule proposes
                                                     examinations appear at 46 CFR 28.710 (fish              information about the specific items examiners will    restating the statutory mandate in 46
                                                     processing vessels) and 28.890 (Aleutian Trade Act      check. The Checklist Generator also provides links
                                                                                                             to regulations and other official references related
                                                                                                                                                                    CFR 28.202.
                                                     vessels), and are supplemented by the guidance in
                                                     COMDTINST 16711.13B (1995), available at http://        to each item.                                             Load lines. CGAA section 604(d)(1),
                                                     www.uscg.mil/directives/ci/16000-16999/CI_16711_           29 See http://www.fishsafe.info/docksideexam        as amended by CGMTA section 305(d),
                                                     13B.pdf.                                                request.htm.                                           limits the existing 46 U.S.C. 5102(b)(3)


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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                            40451

                                                     exemption of all commercial fishing                     section 305(c), amends 46 U.S.C. 4503,                    The proposed rule would add 46 CFR
                                                     vessels from load line requirements by                  which formerly applied only to fish                    28.201(b) and (c) to incorporate the new
                                                     exempting only vessels built prior to                   processing vessels built or converted                  vessel classing requirements.
                                                     July 1, 2013. Thus, section 604(d)(1)                   after July 27, 1990. As amended, section                  Subpart C vessels of at least 50 feet
                                                     would apply not only to the                             4503 now applies to those fish                         overall in length and built on or before
                                                     uninspected CFVs with which this                        processing vessels and also to each                    July 1, 2013 will eventually be required
                                                     proposed rule is concerned, but also to                 subpart C vessel that operates beyond 3                by CGAA section 604(e)(1), as amended
                                                     any inspected fishing vessels—of which                  nautical miles from the baseline, is at                by CGMTA section 305(c), to comply
                                                     there are none at this time. The section                least 50 feet overall in length, and is                with an alternate safety compliance
                                                     5102(b)(3) exemption now is                             built after July 1, 2013. These vessels                program. CGAA section 604(f) requires
                                                     unavailable to any vessel built after July              must meet all survey and classification                us to complete the program’s
                                                     1, 2013. Like other commercial vessels,                 requirements prescribed by the                         development by January 1, 2017.
                                                     CFVs built after July 1, 2013 need to                   American Bureau of Shipping (ABS) or                      The proposed rule would take no
                                                     comply with the existing load line                      another approved organization. The                     action with respect to the new
                                                     regulations in 46 CFR subchapter E if                   ABS and other organizations have                       alternative safety compliance program,
                                                     they are 79 feet or more in length and                  existing requirements that apply to                    because we must use our discretionary
                                                     venture outside the statutory Boundary                  CFVs, and each organization can add or                 authority to undertake the required
                                                     Line.                                                   modify those requirements in the future,               cooperation with industry to develop
                                                        The proposed rule would add 46 CFR                   as they choose.                                        the alternate safety compliance program.
                                                     28.170 to require each fishing vessel                      ABS rules 31 issued in 2001 for steel               This will be the subject of future
                                                     built after July 1, 2013, to be assigned                fishing vessels under 295 feet in length               regulatory action.
                                                     a load line in accordance with 46 CFR                   illustrate the requirements an approved                   Termination of unsafe operations.
                                                     subchapter E if it is 79 feet in length or              organization may provide for CFVs.                     CGAA section 608 adds new 46 U.S.C.
                                                     greater and operates outside the                        Under the ABS rules, a vessel must                     2117, which expands the Coast Guard’s
                                                     Boundary Line. The rule also proposes                   satisfy stability requirements that                    authority to terminate a CFV’s operation
                                                     to amend 46 CFR 28.500 to make it clear                 include—                                               when we determine that unsafe
                                                     that CFV stability regulations continue                    • An intact stability analysis based on             conditions exist. Section 2117
                                                     to apply to certain CFVs, even though                   the applicable part of the International               authorizes a boarding officer to remove
                                                     those CFVs will be subject to load line                 Maritime Organization’s (IMO’s)                        any certificate that the boarded vessel is
                                                     requirements as well.
                                                                                                             Resolution A.749(18) Code on Intact                    required to possess, if the boarding
                                                        Load lines are also the subject of
                                                                                                             Stability for All Types Ships Covered by               officer finds that the vessel is not in
                                                     CGAA section 604(d)(2), which, as
                                                     amended by CGMTA section 305(d),                        IMO Instrument, as amended by                          compliance with the terms of the
                                                     adds 46 U.S.C. 5103(c). This requires                   Maritime Safety Committee Resolution                   certificate. Loss of the certificate then
                                                     vessels built on or before July 1, 2013                 MSC.75(69);                                            becomes, in itself, reason to terminate
                                                     to comply with an alternate load line                      • An inclining experiment or                        the vessel’s voyage. This proposed rule
                                                     compliance program developed in                         deadweight survey;                                     would amend 46 CFR 28.65(a) to
                                                     cooperation with the industry, if they                     • Criteria in IMO Resolution A.168                  incorporate the new termination
                                                     complete a major conversion after that                  (ES.IV), with an additional requirement                provisions and leaves section 28.65(b)
                                                     date. Section 604(d)(2) requires the                    that the vessel have a minimum range                   unchanged, but it would remove section
                                                     Coast Guard to issue regulations                        of stability of 60 degrees;                            28.65(c) because its presence is
                                                     establishing the alternate load line                       • Severe wind and rolling criteria                  redundant and could be confusing, in
                                                     compliance program, but does not                        indicated in IMO Resolution A.562(14);                 light of the revision of section 28.65(a).
                                                     provide a deadline for doing so.                        and                                                       Miscellaneous. CGAA section
                                                        This proposed rule would take no                        • Addressing specified design and                   604(a)(2)(D) through (G) amend 46
                                                     action with respect to new section                      operating factors that affect stability.               U.S.C. 4502(b)(2)(D) through (G) with
                                                     5103(c), because before we can enforce                     In addition, the ABS rules require a                respect to each subpart C vessel.
                                                     its requirement for an alternate load line              vessel to meet specifications for—                     Subpart C vessels now must have
                                                     compliance program, we must first use                      • Fish hold bulkhead design;                        marine radio communications
                                                     our discretionary authority to develop                     • Local strengthening of shell and                  equipment sufficient to effectively
                                                     the details of that program, in                         deck plating;                                          communicate with land-based search
                                                     cooperation with industry. We are                          • Bulwarks, rails, ports, portlights,               and rescue facilities; navigation
                                                     considering providing those details in a                and ventilators;                                       equipment, including compasses,
                                                     future regulatory action, and would first                  • Freeboard and draft marks;                        nautical charts, and publications; first
                                                     seek input from appropriate sources and                    • Cargo handling equipment; and                     aid equipment and medical supplies
                                                     submit any proposed action to the                          • Miscellaneous specifications for                  sufficient for the size and area of
                                                     public for comment.                                     wire rope, equipment operability under                 operation of the vessel; and ground
                                                        Classing of vessels.30 CGAA section                  inclined conditions, liquid petroleum                  tackle sufficient for the vessel. This type
                                                     604(e)(1), as amended by CGMTA                          gas, electrical installation, and                      equipment must be adequate for the size
                                                                                                             refrigeration.                                         of the vessel and where the vessel
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                                                        30 Sec. 318(a) of the Coast Guard Authorization                                                             operates. The proposed rule would
                                                     Act of 2015, Pub. L. 114–120, changed the                                                                      reflect these changes in 46 CFR 28.245,
                                                     applicability of classing requirements for CFVs. The    standards equivalent to those prescribed by a
                                                     2010 and 2012 legislation extended the classing         classification society . . . or another qualified      28.225, 28.210, and 28.235 respectively.
                                                     requirement to CFVs of 50 feet or more in length        organization . . . .’’ This NPRM does not              We request comments on further
                                                     and built before July 1, 2013. The 2015 Act exempts     incorporate any of the 2015 provisions, which must     specifications for this equipment
                                                     from that requirement CFVs of at least 50 and not       be reflected in our regulations through future         requirement.
                                                     more than 79 feet overall in length, and built after    regulatory action.
                                                     Feb. 8, 2016, provided their construction is              31 Rules for Building and Classing Steel Vessels        We also propose revising the
                                                     overseen by a State-licensed naval architect or         Under 90 Meters (295 Feet) in Length (2012), ch.       authority line for 46 CFR part 28, to
                                                     marine engineer, and their design ‘‘incorporates        12: Fishing Vessels.                                   more fully state the sources of our


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                                                     40452                             Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     authority to issue the regulations                                          Table. Table 9 sequentially lists the                           how the CGAA and CGMTA affected the
                                                     appearing in that part.                                                   regulations we would add or amend in                              regulation.
                                                                                                                               this proposed rule, and summarizes

                                                                                                          TABLE 9—46 CFR SECTIONS AFFECTED BY PROPOSED RULE
                                                          46 CFR section                                           Heading                                       Related statutory section(s)                        Related statutory topic(s)

                                                     28.65 ..........................      Termination of unsafe operations .............                  CGAA 608 ........................................   Termination of unsafe operations.
                                                     28.110 ........................       Life preservers or other personal flotation                     CGAA 604(a)(2)(B) ...........................       Substitution of baseline for Bound-
                                                                                              devices..                                                                                                          ary Line criteria.
                                                     28.120 ........................       Survival craft 32 ..........................................    CGAA     604(a)(2)(C); CGMTA 303 ....               Survival craft.
                                                     28.130 ........................       Survival craft equipment ............................           CGAA     604(a)(2)(C); CGMTA 303 ....               Survival craft.
                                                     28.170 ........................       Load lines ..................................................   CGAA     604(d); CGMTA 305 .............            Load lines.
                                                     Subpart C heading ....                Old: Requirements for vessels that oper-                        CGAA     604(a)(2)(A) ...........................   Vessel parity.
                                                                                              ate beyond the Boundary Lines or with
                                                                                              more than 16 individuals on board, or
                                                                                              for fish tender vessels engaged in the
                                                                                              Aleutian Trade.
                                                     28.200 ........................       Old: Applicability ........................................     CGAA 604(a)(2)(A), 604(a)(3) ..........             Vessel parity, Records.
                                                     28.201 ........................       Examination and certification ....................              CGAA 604(a)(3), 604(e)(1); CGMTA                    Vessel examinations, Classing of
                                                                                                                                                            305.                                                 vessels.
                                                     28.202 ........................       Construction requirement for smaller ves-                       CGAA 604(a)(4) ...............................      Construction standards for smaller
                                                                                              sels.                                                                                                              vessels.
                                                     28.205 ........................       Fireman’s outfits and self-contained                            CGAA 604(a)(2)(A) ...........................       Vessel parity.
                                                                                              breathing apparatus.
                                                     28.210     ........................   First aid equipment and training ...............                CGAA     604(a)(2)(A), 604(a)(2)(F) .....           Vessel   parity,   Miscellaneous.
                                                     28.215     ........................   Guards for exposed hazards .....................                CGAA     604(a)(2)(A) ...........................   Vessel   parity.
                                                     28.225     ........................   Navigational information ............................           CGAA     604(a)(2)(A), 604(a)(2)(E) .....           Vessel   parity,   Miscellaneous.
                                                     28.230     ........................   Compasses ................................................      CGAA     604(a)(2)(A) ...........................   Vessel   parity.
                                                     28.235     ........................   Anchors and radar reflectors .....................              CGAA     604(a)(2)(A), 604(a)(2)(G) ....            Vessel   parity,   Miscellaneous.
                                                     28.240     ........................   General alarm system ...............................            CGAA     604(a)(2)(A) ...........................   Vessel   parity.
                                                     28.245     ........................   Communications equipment ......................                 CGAA     604(a)(2)(A), 604(a)(2)(D) .....           Vessel   parity,   Miscellaneous.
                                                     28.250     ........................   High water alarms .....................................         CGAA     604(a)(2)(A) ...........................   Vessel   parity.
                                                     28.255     ........................   Bilge pumps, bilge piping, and dewatering                       CGAA     604(a)(2)(A) ...........................   Vessel   parity.
                                                                                              systems.
                                                     28.260 ........................       Electronic position fixing devices ..............               CGAA 604(a)(2)(A) ...........................       Vessel parity.
                                                     28.265 ........................       Emergency instructions .............................            CGAA 604(a)(2)(A) ...........................       Vessel parity.
                                                     28.270 ........................       Old: Instruction, drills, and safety orienta-                   CGAA    604(a)(2)(A),           604(a)(4);          Vessel parity, Training.
                                                                                              tion.                                                         CGMTA 305.
                                                     28.500 ........................       Applicability [of stability regulations] .........              CGAA 604(d) ....................................    Load lines.



                                                     VII. Regulatory Analyses                                                  necessary, to select regulatory                                   regulatory action’’ under section 3(f) of
                                                                                                                               approaches that maximize net benefits                             Executive Order 12866 and therefore it
                                                       We developed this proposed rule after                                   (including potential economic,                                    has been reviewed by the Office of
                                                     considering numerous statutes and                                         environmental, public health and safety                           Management and Budget. A preliminary
                                                     executive orders related to rulemaking.                                   effects, distributive impacts, and                                Regulatory Analysis (RA) is available in
                                                     Below, we summarize our analyses                                          equity). Executive Order 13563                                    the docket where indicated under the
                                                     based on these statutes or executive                                      emphasizes the importance of
                                                     orders.                                                                                                                                     ‘‘Public Participation and Request for
                                                                                                                               quantifying both costs and benefits, of                           Comments’’ section of this preamble.
                                                     A. Regulatory Planning and Review                                         reducing costs, of harmonizing rules,
                                                                                                                               and of promoting flexibility. The                                    See part VI of this preamble for a
                                                        Executive Orders 12866 (‘‘Regulatory                                   estimated costs of this rulemaking do                             discussion of the proposed rule and see
                                                     Planning and Review’’) and 13563                                          not exceed the threshold of economic                              the preliminary RA in our docket for a
                                                     (‘‘Improving Regulation and Regulatory                                    significance (i.e., the rulemaking has an                         more detailed discussion of costs,
                                                     Review’’) direct agencies to assess the                                   annual effect on the economy of $100                              benefits, and alternatives considered.
                                                     costs and benefits of available regulatory                                million or more. However, the proposed                            Table 10 summarizes the impacts of this
                                                     alternatives and, if regulation is                                        rule has been designated a ‘‘significant                          rulemaking.

                                                                   TABLE 10—SUMMARY OF AFFECTED POPULATION, COSTS, AND BENEFITS OF CONGRESSIONAL MANDATES
                                                                                  Category                                                                                             Proposed rule

                                                     Applicability .........................................................    U.S. flagged, uninspected commercial fishing vessels (CFVs).
                                                     Affected population .............................................          36,115 CFVs.
                                                     Industry costs * ($ millions, 7% discount rate) ...                        $34.2 million (annualized), $240.3 million (10-year). Not quantified: Potential lost revenues, Po-
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                                                                                                                                  tential lost wages.
                                                     Government costs * ($ millions, 7% discount                                $5.4 million (annualized) $38.2 million (10-year).
                                                       rate).
                                                     Total costs * ($ millions, 7% discount rate) ........                      $39.7 million (annualized), $278.5 million (10-year).


                                                       32 The Coast Guard Authorization Act of 2015,                           survival craft on all CFVs to protect occupants                   therefore those provisions continue to apply to
                                                     Pub. L. 114–120, amended 46 U.S.C. 3104 by                                against immersion in water. The survival craft                    subpart C survival craft. The 2015 legislation will
                                                     removing language mandating that we require                               provisions of 46 U.S.C. 4502 were unaffected and                  be addressed in a future rulemaking.



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                                                                                       Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                           40453

                                                        TABLE 10—SUMMARY OF AFFECTED POPULATION, COSTS, AND BENEFITS OF CONGRESSIONAL MANDATES—Continued
                                                                                  Category                                                                                    Proposed rule

                                                     Benefits ($ millions, 7% discount rate) ...............                   $7.1–$9.4 million (annualized), $44.4–$65.5 million (10-year). Not quantified: Benefits from re-
                                                                                                                                 ducing injuries, property losses and environmental damage from oil spills.
                                                        * Please refer to the preliminary RA in the docket for details.


                                                        A summary of the RA follows:                                         the CGAA and CGMTA changes. The                          sea or coastline of the Great Lakes. The
                                                        The 2010 CGAA and the 2012                                           proposed rule would implement only                       Boundary Line is used as the
                                                     CGMTA make numerous, significant                                        those CGAA and CGMTA provisions                          demarcation line for operating area and
                                                     changes to Chapter 45 of 46 U.S.C.,                                     that mandate the promulgation of                         equipment standards, but it is not
                                                     ‘‘Uninspected Commercial Fishing                                        regulations. The proposed rule would                     uniform around the U.S. coastline. The
                                                     Industry Vessels.’’ These new                                           revise safety standards by adding or                     CGAA amended sections 4502(b)(1)(A)
                                                     requirements build on the requirements                                  amending regulations in the categories                   of 46 U.S.C. by deleting the words
                                                     set forth in the Commercial Fishing                                     indicated in Table 11.                                   ‘‘Boundary Line’’ and replacing them
                                                     Industry Vessel Safety Act of 1988.                                       In addition, uniform safety standards                  with ‘‘3 nautical miles from the baseline
                                                     Once implemented through new or                                         are established for all fishing vessels for              from which the territorial sea of the
                                                     amended regulations, the commercial                                     some requirements, particularly those                    United States is measured or 3 nautical
                                                     fishing industry should experience                                      vessels operating beyond 3 nautical                      miles from the coastline of the Great
                                                     enhanced worker and vessel safety from                                  miles of the baseline of the territorial                 Lakes.’’

                                                                                                    TABLE 11—PROPOSED RULE REQUIREMENT WITH COST IMPACTS 33
                                                         Rule requirement                                Category                                                            Description of changes

                                                     (1) ................................   Survival   Craft 34    ....................   Establishes requirements for all fishing industry vessels operating beyond 3 nautical
                                                                                                                                            miles to carry survival craft that will meet a new performance standard for primary
                                                                                                                                            lifesaving equipment. The use of ‘‘lifeboats or liferafts’’ is replaced with ‘‘a survival
                                                                                                                                            craft that ensures that no part of an individual is immersed in water.’’ This means that
                                                                                                                                            lifefloats and buoyant apparatus will no longer be accepted as survival craft on any
                                                                                                                                            commercial fishing vessel operating beyond 3 nautical miles. As the CGMTA per-
                                                                                                                                            mitted us to do, we refrained from enforcing this provision between the CGMTA’s en-
                                                                                                                                            actment and February 2016.
                                                     (2) ................................   Records ................................      Requires the individual in charge of a vessel operating beyond 3 nautical miles to main-
                                                                                                                                            tain a record of lifesaving and fire equipment maintenance. It will be incumbent upon
                                                                                                                                            the master/individual in charge of the vessel to maintain these records onboard.
                                                     (3) ................................   Examinations and Certifi-                     Requires a dockside safety examination at least once every 5 years for vessels oper-
                                                                                              cates of Compliance. 35                       ating beyond 3 nautical miles with the first exam statutorily required by October 15,
                                                                                                                                            2015. A ‘‘certificate of compliance’’ will be issued to a vessel successfully completing
                                                                                                                                            the exam. Voluntary exams will continue to be promoted for vessel operating inside 3
                                                                                                                                            nautical miles.
                                                     (4) ................................   Classing of Vessels, Third                    Requires the survey and classification of a fishing vessel that is at least 50 feet overall
                                                                                              Party. 36                                     in length, built after July 1, 2013, and operates beyond 3 nautical miles.



                                                     Affected Population                                                     operating beyond three nautical miles of                 coastline of the Great Lakes. Coast
                                                       Based on Marine Information for                                       the baseline of the territorial sea and the              Guard subject matter experts estimate
                                                     Safety and Law Enforcement (MISLE)                                                                                               that 36,115 (17,237 documented and
                                                     data, there are approximately 75,083
                                                                                                                                35 The proposed rule enhances the enforcement of
                                                                                                                                                                                      18,878 undocumented) operate beyond
                                                                                                                             dockside examinations by allowing the termination        the three nautical miles threshold, and
                                                     U.S. commercial fishing vessels in the                                  of vessels that do not obtain the required
                                                     United States. This proposed rule would                                 certification. The costs to acquire and maintain         are affected by this rulemaking 37. Each
                                                     take regulatory action on vessels                                       certification is captured under Examinations and         rule requirement applies to a distinct set
                                                                                                                             Certification of Compliance. There is a potential,       of vessels based on area of operation
                                                       33 Please refer to the Regulatory Analysis Section
                                                                                                                             non-quantifiable cost if a voyage is terminated due
                                                     1.7 Regulatory Impacts for discussion on no cost                        to unsafe operations.
                                                                                                                                                                                      and vessel size. (Table 12).
                                                     requirements.                                                              36 Sec. 318(a) of the Coast Guard Authorization
                                                       34 The Coast Guard Authorization Act of 2015,
                                                                                                                             Act of 2015, Public Law 114–120, changed the             marine engineer, and their design ‘‘incorporates
                                                     Public Law 114–120, amended 46 U.S.C. 3104 by                           applicability of classing requirements for CFVs. The     standards equivalent to those prescribed by a
                                                     removing language mandating that we require                             2010 and 2012 legislation extended the classing          classification society. . . or another qualified
                                                     survival craft on all CFVs to protect occupants                         requirement to CFVs of 50 feet or more overall in        organization. . . .’’ This NPRM does not
                                                     against immersion in water. The survival craft                          length and built before July 1, 2013. The 2015 Act       incorporate any of the 2015 provisions, which must
                                                     provisions of 46 U.S.C. 4502 were unaffected and                        exempts from that requirement CFVs of at least 50
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                                                                                                                                                                                      be reflected in our regulations through future
                                                     therefore those provisions continue to apply to                         and not more than 79 feet overall in length, and
                                                                                                                                                                                      regulatory action.
                                                     subpart C survival craft. The 2015 legislation will                     built after Feb. 8, 2016, provided their construction
                                                                                                                                                                                        37 The remaining 38,968 vessels are not affected
                                                     be addressed in a future rulemaking.                                    is overseen by a State-licensed naval architect or
                                                                                                                                                                                      by this rule.




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                                                     40454                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                                                          TABLE 12—SUMMARY OF AFFECTED POPULATION BY REGULATORY REQUIREMENT
                                                                                                                                                                                                                                                       Estimated
                                                                               CGAA/CGMTA requirements                                                                                         Affected population                                      number

                                                     (1) Requirement that survival craft ensure that no part of indi-                                       All vessels that operate beyond 3 NM that currently do not                                       24,771
                                                       vidual is immersed in water. 38                                                                        carry survival craft that ensure that no part of individual is
                                                                                                                                                              immersed in water.
                                                     (2) Requirement to keep records of equipment maintenance                                               All vessels that operate beyond 3 NM ......................................                      36,115
                                                       and drills/instructions in safety logbook.
                                                     (3) Requirement for vessels to have dockside exam every 5                                              All vessels that operate beyond 3 NM ......................................                      36,115
                                                       years and carry certificate.
                                                     (4) Vessel 50 feet in length or greater built after 2013 must be                                       New vessels ≥50 ft in length (26 annually) that operate be-                                          260
                                                       classed by third party organization. 39                                                                yond 3 NM.


                                                                                                                                  We estimated the total average costs of                                       year period as summarized in Table
                                                     Costs
                                                                                                                                  this rulemaking on industry for a 10-                                         13. 40
                                                       One-hundred percent of the costs of
                                                     this rule are Congressionally mandated.
                                                                                                                           TABLE 13—PROPOSED RULE INDUSTRY COSTS
                                                                                                                                                       [Values in $ millions]

                                                                                                                                                                                                                                        Discounted costs
                                                                                                                                                                                                            Undiscounted
                                                                                                                          Year                                                                                 costs                   7%                 3%

                                                     Year    1 ..........................................................................................................................................               $67.97           $63.52              $65.99
                                                     Year    2 ..........................................................................................................................................                27.28            23.83               25.72
                                                     Year    3 ..........................................................................................................................................                27.37            22.34               25.05
                                                     Year    4 ..........................................................................................................................................                27.46            20.95               24.40
                                                     Year    5 ..........................................................................................................................................                27.46            19.58               23.69
                                                     Year    6 ..........................................................................................................................................                41.48            27.64               34.74
                                                     Year    7 ..........................................................................................................................................                27.55            17.16               22.40
                                                     Year    8 ..........................................................................................................................................                27.64            16.09               21.82
                                                     Year    9 ..........................................................................................................................................                27.72            15.08               21.25
                                                     Year    10 ........................................................................................................................................                 27.72            14.09               20.63
                                                        Total ......................................................................................................................................                     329.66          240.28              285.67
                                                     Annualized ...................................................................................................................................         ........................      34.21               33.49



                                                       The first-year (initial) undiscounted                                      discount rate and $285.7 million based                                        Table 14 presents the costs to industry
                                                     cost of this rulemaking is $68 million.                                      on a 3-percent discount rate assuming                                         by requirement, of which ‘‘classing of
                                                     The 10-year discounted present value                                         immediate implementation. The                                                 vessels by third party’’ makes up the
                                                     cost to industry of the proposed rule is                                     annualized cost to industry is $34.2                                          majority of the total costs.
                                                     $240.3 million based on a 7-percent                                          million at a 7-percent discount rate.

                                                                                  TABLE 14—ANNUALIZED PROPOSED RULE INDUSTRY COSTS BY REQUIREMENT CATEGORY
                                                                                                                                                       [Values in $ millions]

                                                                                                                                                                                  10-Year cost                                              Annualized
                                                                             Proposed rule requirement
                                                                                                                                                      Undiscounted                        7%                         3%                7%                  3%

                                                     (1)   Survival    Craft 41..............................................................                     $82.49                      $64.15                    $73.52              $9.13               $8.62
                                                     (2)   Records ..........................................................................                       6.52                        4.58                      5.56               0.65                0.65
                                                     (3)   Examination and Certificates of Compliance .................                                            27.87                       22.31                     25.20               3.18                2.95
                                                     (4)   Classing of Vessel, Third Party ......................................                                 212.77                      149.24                    181.39              21.25               21.26

                                                            Total for Authorization Act Requirements ....................                                         329.66                      240.28                    285.67              34.21               33.49



                                                       38 The Coast Guard Authorization Act of 2015,

                                                     Public Law 114–120, amended 46 U.S.C. 3104 by                                requirement to CFVs of 50 feet or more overall in                               40 We discounted the costs at 7 and 3 percent as

                                                     removing language mandating that we require                                  length and built after July 1, 2013. The 2015 Act                             set forth by guidance in the Office of Management
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                                                                                                                                  exempts from that requirement CFVs of at least 50                             and Budget’s Circular A–4.
                                                     survival craft on all CFVs to protect occupants
                                                                                                                                  and not more than 79 feet overall in length, and                                41 The Coast Guard Authorization Act of 2015,
                                                     against immersion in water. The survival craft
                                                                                                                                  built after Feb. 8, 2016, provided their construction
                                                     provisions of 46 U.S.C. 4502 were unaffected and                                                                                                           Public Law 114–120, amended 46 U.S.C. 3104 by
                                                                                                                                  is overseen by a State-licensed naval architect or
                                                     therefore those provisions continue to apply to                                                                                                            removing language mandating that we require
                                                                                                                                  marine engineer, and their design ‘‘incorporates
                                                     subpart C survival craft. The 2015 legislation will                          standards equivalent to those prescribed by a                                 survival craft on all CFVs to protect occupants
                                                     be addressed in a future rulemaking.                                         classification society . . . or another qualified                             against immersion in water. The survival craft
                                                       39 Sec. 318(a) of the Coast Guard Authorization
                                                                                                                                  organization. . . .’’ This NPRM does not                                      provisions of 46 U.S.C. 4502 were unaffected and
                                                     Act of 2015, Public Law 114–120, changed the                                 incorporate any of the 2015 provisions, which must                            therefore those provisions continue to apply to
                                                     applicability of classing requirements for CFVs. The                         be reflected in our regulations through future                                subpart C survival craft. The 2015 legislation will
                                                     2010 and 2012 legislation extended the classing                              regulatory action.                                                            be addressed in a future rulemaking.



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                                                                                        Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                                                    40455

                                                       We anticipate that the government                                          government over the 10-year period of                                         Annualized government costs are about
                                                     will incur labor and travel costs to                                         analysis to be $38.2 million discounted                                       $5.4 million under both 7-percent and
                                                     conduct dockside CFV safety exams. We                                        at 7 percent and $46.4 million                                                3-percent discount rates.
                                                     estimate the total present value cost to                                     discounted at 3 percent (Table 15).

                                                                                                               TABLE 15—PROPOSED RULE—TOTAL GOVERNMENT COSTS
                                                                                                                                                       [Values in $ millions]

                                                                                                                                                                                                                                       Discounted costs
                                                                                                                                                                                                            Undiscounted
                                                                                                                          Year                                                                                 costs                   7%                3%

                                                     Year    1 ..........................................................................................................................................                 $5.44             $5.09             $5.28
                                                     Year    2 ..........................................................................................................................................                  5.44              4.75              5.13
                                                     Year    3 ..........................................................................................................................................                  5.44              4.44              4.98
                                                     Year    4 ..........................................................................................................................................                  5.44              4.15              4.83
                                                     Year    5 ..........................................................................................................................................                  5.44              3.88              4.69
                                                     Year    6 ..........................................................................................................................................                  5.44              3.63              4.56
                                                     Year    7 ..........................................................................................................................................                  5.44              3.39              4.42
                                                     Year    8 ..........................................................................................................................................                  5.44              3.17              4.30
                                                     Year    9 ..........................................................................................................................................                  5.44              2.96              4.17
                                                     Year    10 ........................................................................................................................................                   5.44              2.77              4.05

                                                        Total ......................................................................................................................................                       54.41            38.22             46.42
                                                     Annualized ...................................................................................................................................         ........................         5.44              5.44



                                                        We estimate the combined total 10-                                        at 3 percent (Table 16). The combined                                         economy of the proposed rule would
                                                     year present value cost of the                                               annualized costs to industry and                                              not exceed $100 million in the first or
                                                     rulemaking to industry and government                                        government are $39.7 million at 7                                             any subsequent year of implementation.
                                                     at $278.5 million, discounted at 7                                           percent and $38.9 million at 3 percent.
                                                     percent, and $332.1 million, discounted                                      The expected annual effect on the

                                                                                                           TABLE 16—SUMMARY OF COST BY REGULATORY REQUIREMENT
                                                                                                                                                       [Values in $ millions]

                                                                                                                                                                                  10-Year cost                                              Annualized
                                                                             Proposed rule requirement
                                                                                                                                                      Undiscounted                        7%                         3%                7%                3%

                                                     (1) Survival      Craft 42
                                                                             ..............................................................                       $82.49                      $64.15                     $73.52             $9.13             $8.62
                                                     (2) Records ..........................................................................                         6.52                        4.58                       5.56              0.65              0.65
                                                     (3) Examination and Certificates of Compliance .................                                              27.87                       22.31                      25.20              3.18              2.95
                                                     (4) Classing of Vessel, Third Party 43 ..................................                                    212.77                      149.24                     181.39             21.25             21.26
                                                     Government Costs:
                                                          Examinations and Certificates of Compliance ..............                                                54.41                       38.22                      46.42             5.44              5.44

                                                     Total for Authorization Act Requirements ............................                                        384.07                      278.50                     332.09             39.65             38.93



                                                     Benefits                                                                     adverse impacts to crew and increase                                          owners and masters. The primary
                                                        In this rulemaking, the Coast Guard is                                    the likelihood of survival and rescue. To                                     benefits resulting from increased safety
                                                     proposing to implement CFV safety                                            reduce the risk of casualties and to                                          include reductions in the risk of
                                                     standards mandated by Congress in the                                        mitigate the adverse consequences, the                                        fatalities, property loss, and
                                                     2010 CGAA and 2012 CGMTA. These                                              Coast Guard adopts comprehensive                                              environmental damage that can be
                                                     mandates are collectively intended to                                        safety requirements that are intended to                                      caused by lost and damaged CFVs.
                                                     reduce the risk of future casualties, and                                    increase compliance with current                                              Table 17 presents the benefits resulting
                                                     if a casualty occurs, to minimize the                                        regulations and increase the operational                                      from improved CFV safety.
                                                                                                                                  awareness and preparedness of CFV
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                                                       42 The Coast Guard Authorization Act of 2015,                                43 Sec. 318(a) of the Coast Guard Authorization                             is overseen by a State-licensed naval architect or
                                                     Public Law 114–120, amended 46 U.S.C. 3104 by                                Act of 2015, Public Law 114–120, changed the                                  marine engineer, and their design ‘‘incorporates
                                                     removing language mandating that we require                                  applicability of classing requirements for CFVs. The                          standards equivalent to those prescribed by a
                                                     survival craft on all CFVs to protect occupants                              2010 and 2012 legislation extended the classing                               classification society . . . or another qualified
                                                     against immersion in water. The survival craft                               requirement to CFVs of 50 feet or more overall in
                                                                                                                                                                                                                organization . . . .’’ This NPRM does not
                                                     provisions of 46 U.S.C. 4502 were unaffected and                             length and built after July 1, 2013. The 2015 Act
                                                     therefore those provisions continue to apply to                              exempts from that requirement CFVs of at least 50                             incorporate any of the 2015 provisions, which must
                                                     subpart C survival craft. The 2015 legislation will                          and not more than 79 feet overall in length, and                              be reflected in our regulations through future
                                                     be addressed in a future rulemaking.                                         built after Feb. 8, 2016, provided their construction                         regulatory action.



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                                                     40456                            Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                                                           TABLE 17—PROPOSED RULE BENEFITS OF SAFETY STANDARDS BY CATEGORY
                                                        Rule requirement                                    Category                                                                 Benefit(s)

                                                     (1) ..............................   Survival Craft 44 .............................     Ensures personnel who evacuate in the event of the loss of a vessel are removed
                                                                                                                                                from the water, thereby reducing the risk of hypothermia.
                                                     (2) ..............................   Records .........................................   Requires the individual in charge of a vessel operating beyond 3 nautical miles of
                                                                                                                                                the base line to maintain onboard a record of equipment maintenance and re-
                                                                                                                                                quired instruction and drills. Maintaining records increases accountability and
                                                                                                                                                provides a means of determining compliance for many provisions, particularly
                                                                                                                                                during Coast Guard vessel boardings and investigations. Maintaining records
                                                                                                                                                also assists the vessel operator by reminding him or her that actions are needed
                                                                                                                                                to remain in compliance with the rules.
                                                     (3) ..............................   Examinations and Certificates of                    Makes current voluntary system of examinations mandatory, thereby ensuring ves-
                                                                                            Compliance.                                         sel is maintained properly and able to operate in a safe and environmentally
                                                                                                                                                sound manner.
                                                     (4) ..............................   Classing of Vessels, Third Party 45                 Requires survey and classification of a fishing vessel that is at least 50 feet overall
                                                                                                                                                in length, built after July 1, 2013, and operating beyond 3 nautical miles of the
                                                                                                                                                base line. Vessel classification helps to ensure that a vessel is designed and
                                                                                                                                                maintained in a safe manner, reducing the likelihood of all types of mishaps. The
                                                                                                                                                classification process includes: The development of standards; technical plan re-
                                                                                                                                                view and design analysis; surveys during construction; source inspection of ma-
                                                                                                                                                terials, equipment and machinery; subsequent periodic surveys for maintenance
                                                                                                                                                of class; survey of damage, repairs and modifications.


                                                                                                                  TABLE 18—ADDITIONAL PROPOSED RULE BENEFITS
                                                                                                Authorization Act requirement                                                                          Benefits

                                                     Dockside examination and vessel certification: A vessel that that was classed before July                                Clarifies current    industry    practice and harmonizes
                                                        1, 2012, must remain subject to the requirements of a classification society.                                           regulatory and    statutory   language.
                                                     Requires that vessels built after January 1, 2010, and less than 50 feet overall in length                               Clarifies current    industry    practice and harmonizes
                                                        be constructed in a manner that provides a level of safety equivalent to the standards                                  regulatory and    statutory   language.
                                                        for recreational vessels established under Title 46 U.S.C. 4302.
                                                     First aid equipment and training: Substitutes the words ‘‘medical supplies sufficient for                                Clarifies current industry practice and harmonizes
                                                        the size and area of operation of the vessel, which on documented vessels must be in                                    regulatory and statutory language.
                                                        a readily accessible location’’ for ‘‘medicine chest of a size suitable for the number of
                                                        individuals on board in a readily accessible location’’.
                                                     First aid equipment and training: Limits applicability to documented vessels. No change                                  Clarifies current applicability and harmonizes regu-
                                                        from current requirements.                                                                                              latory and statutory language.
                                                     Changes to applicability language for: Navigational equipment; Anchors and radar reflec-                                 Limits applicability to documented vessels. Clarifies
                                                        tors; General alarm system; High water alarms; Electronic position fixing devices;                                      current applicability and harmonizes regulatory and
                                                        Emergency Instructions; Instructions, drills, and safety orientation.                                                   statutory language.



                                                       In this regulatory assessment, the                                      For the period of 2002–2012, a total                  the negative impacts of commercial
                                                     benefits associated with (1) survival                                  of 426 fishermen lost their lives on                     fishing vessel casualties with fatalities
                                                     craft and (3) examinations are further                                 commercial fishing vessels (Exhibit A).                  monetized at $9.1 million per fatality
                                                     evaluated, with monetized estimates                                    Of those, a total of 205 lives were lost                 and Exhibit C displays average annual
                                                     developed. Other components are left                                   due to vessel loss and 221 lives were                    monetary damages, of which fatalities
                                                     non-monetized given limitations on                                     lost due to other causes. On an annual                   make up the overwhelming majority of
                                                     casualty data (e.g., limited specificity in                            basis, an average of 39 fishermen lost                   damages associated with the
                                                     casualty investigations).                                              their lives per year, with an average of                 commercial fishing industry.
                                                                                                                            19 of these fatalities associated with                      To monetize the value of fatalities and
                                                        44 The Coast Guard Authorization Act of 2015,                       vessel loss. As there is no discernible,                 those prevented, we use the concept of
                                                     Public Law 114–120, amended 46 U.S.C. 3104 by                          consistent trend of fatalities over the                  ‘‘value of statistical life’’ (VSL), which is
                                                     removing language mandating that we require                            time period, we use the average                          commonly used in safety analyses. The
                                                     survival craft on all CFVs to protect occupants
                                                     against immersion in water. The survival craft                         fatalities over the period to represent the              VSL does not represent the dollar value
                                                     provisions of 46 U.S.C. 4502 were unaffected and                       projected fatalities without the proposed                of a person’s life, but the amount society
                                                     therefore those provisions continue to apply to                        rule in the future 10-year period covered                would be willing to pay to reduce the
                                                     subpart C survival craft. The 2015 legislation will                    in this analysis.                                        probability of premature death. We
                                                     be addressed in a future rulemaking.
                                                        45 Sec. 318(a) of the Coast Guard Authorization                        During the 2002–2012 period, 851                      currently use a value of $9.1 million as
                                                                                                                            vessels were lost (Exhibit B), resulting                 an estimate of VSL.46 A $9.1 million
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                                                     Act of 2015, Public Law 114–120, changed the
                                                     applicability of classing requirements for CFVs. The                   in an estimated property damage of                       VSL does not mean a specific human
                                                     2010 and 2012 legislation extended the classing                        $17.3 million and 13,270 gallons of                      life is worth $9.1 million, but instead,
                                                     requirement to CFVs of 50 feet or more overall in
                                                     length and built before July 1, 2013. The 2015 Act
                                                                                                                            pollutant spilled. Table 18 summarizes                   a $9.1 million VSL means an individual
                                                     exempts from that requirement CFVs of at least 50
                                                     and not more than 79 feet overall in length, and                       classification society . . or another qualified             46 See guidance on the Treatment of the Economic

                                                     built after Feb. 8, 2016, provided their construction                  organization. . . .’’ This NPRM does not                 Value of a Statistical Life in U.S. Department of
                                                     is overseen by a State-licensed naval architect or                     incorporate any of the 2015 provisions, which must       Transportation Analyses, U.S. DOT, 2013, available
                                                     marine engineer, and their design ‘‘incorporates                       be reflected in our regulations through future           at http://www.dot.gov/sites/dot.dev/files/docs/
                                                     standards equivalent to those prescribed by a                          regulatory action.                                       VSL%20Guidance%202013.pdf.



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                                        Federal Register/Vol. 81, No. 119 /Tuesday, June 21, 2016 /Proposed Rules                      40457

is willing to pay $9.10 to reduce the                        annual risk of premature death by one
annual risk of premature death by one                        in 1,000,000.
in 1,000,000.


           Exhibit A: Total Commercial Fishing Fatalities, All U.S. Fishing Vessels (2002—
           2012).

                                   50


                                   45


                                   40

                                   35


                                   30
            Number of Fatalities




                                   25


                                   20


                                   15


                                   10




                                        2002   2003   2004   2005   2006        2007         2008        2009     2010   2011   2012
                                                                     amesteme All Causes   a= Bke « Vessel Loss


                                                     40458                         Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules




                                                                                                           TABLE 19—NEGATIVE IMPACTS FROM CFV INCIDENTS
                                                                                                                                               [2002–2012]

                                                                                                                                                                                                                    Average
                                                                                                                                                                                 Total monetary                     monetary
                                                                                                                                                                                                     Average
                                                                                 Impact                                      Monetary evaluation                Total effects       damages                       damage per
                                                                                                                                                                                                     per year
                                                                                                                                                                                  (in millions)                       year
                                                                                                                                                                                                                  (in millions)

                                                     Fatalities from all vessel incidents ........................         $9.1 million per fatality                       426         $3,876.6              39          $354.9
                                                         Fatalities, from non-vessel loss .....................                                                            221          2,011.1              20            182
                                                         Fatalities, resulting from vessel loss .............                                                              205          1,865.5              19           172.9
                                                     Lost Vessels (Property Damage) .........................              Varies ...........................              851             17.3              77             1.6
                                                     Gallons of Oil Spilled ............................................   254 per gallon ..............                13,270              3.4           1,210             0.3
                                                        Notes:
                                                        (1) Fatality values are based on a $9.1 million value of a statistical life referenced in Guidance on Treatment of the Economic Value of a Sta-
                                                     tistical Life in U.S. Department of Transportation Analyses, U.S. DOT, 2013, available at http://www.dot.gov/sites/dot.dev/files/docs/
                                                     VSL%20Guidance%202013.pdf.
                                                        (2) Vessel lost include property and cargo damages as reported in MISLE.
                                                        (3) Oil spilled damages are based on a $254 damage per gallon of oil spilled as indicated by Inspection of Towing Vessels, Notice of Pro-
                                                     posed Rulemaking, Preliminary Regulatory Analysis and Initial Regulatory Flexibility Analysis, USCG–2006–24412, July 2011, available at http://
                                                     www.regulations.gov/#!documentDetail;D=USCG-2006-24412-0002.
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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                          40459




                                                       As noted above, we develop                            million per year and the value of oil                  when compared to historical casualties,
                                                     monetized benefits for two of the                       spill damages is $0.3 million per year.                and an estimation of the effectiveness of
                                                     requirements (Survival Craft and                        To the extent a vessel loss is prevented,              each proposed rule feature as decided
                                                     Dockside Examinations). In addition to                  property damage and oil spills may also                by subject matter experts.
                                                     the aforementioned, the following                       be reduced. Also, search and rescue                       The primary and high estimate of
                                                     categories of benefits have not been                    costs and other response costs (such as                benefits for each category is summarized
                                                     captured due to analysis limitations and                emergency transportation to hospitals)                 in Table 19. The estimate of monetized
                                                     scope: 47                                               could be reduced if a vessel loss is                   annualized benefits is $7.1 million at a
                                                       Property and environmental damage.                    prevented.                                             7 percent discount rate. The high
                                                     The examination requirements have the                      Injuries. Survival craft and dockside               estimate of benefits is $9.4 million at 7
                                                     potential to prevent the loss of vessels.               examination provisions could also                      percent discount rate.
                                                     For example, the dockside examination                   reduce injuries. According to the
                                                     may identify deficiencies, like a non-                  National Institute for Occupational                       The high estimates are based on an
                                                     functioning high water alarm, that, if                  Safety and Health, in Alaska during the                extrapolation from casualty reports that
                                                     activated, could allow the crew to                      period of 1991–2002, 798 fishermen                     contain detailed information on the
                                                     respond in a timely manner to avoid                     were hospitalized for treatment of                     cause of the casualty to casualties that
                                                     vessel loss. Based on MISLE 48 data, the                severe injuries received during fishing                contain limited information on the
                                                     baseline value of property damage due                   activities, an average of 66.5 injuries per            cause of the casualty. With commercial
                                                     to vessel loss is estimated at $1.6                     year in Alaska alone. These severe                     fishing vessels casualties, it is not
                                                                                                             injuries can lead to lifetime                          unusual for a vessel to be lost at sea
                                                       47 The benefit analysis is achieved on a per vessel   consequences and include injuries that                 with no survivors. In these cases, the
                                                     basis. That is, the benefits estimated reflect the      result in amputation and paralysis.                    casualty report may contain limited
                                                     historical casualty incidents that might have been      During a vessel loss event, it is not                  information as to the causal factors for
                                                     prevented if the proposed rule were in place. In        uncommon for survivors to suffer from                  the loss to be able to make a confident
                                                     order to estimate the reduction in property and                                                                determination of the potential for risk
                                                     environmental damage, we would need an
                                                                                                             exposure and hypothermia due to
                                                     algorithm that detailed when the requirements of        immersion in water or trauma injuries                  reduction. Based on our review of the
                                                     the proposed rule would reduce the likelihood of        suffered during the sinking. The                       casualty reports, we found
                                                     vessel loss, requiring a significant amount of          dockside examinations could prevent                    approximately 20 percent of the cases
                                                     analytical effort. Given that property and                                                                     contained too limited information to
                                                     environmental damages makes up a small fraction
                                                                                                             vessel losses while the survival craft
                                                     (0.58%) of the total annual damages (Exhibit ES–        could reduce the risk of exposure and                  attempt an estimation of potential
                                                     3), the CG sought to focus on the benefits associated   hypothermia injuries after the vessel is               benefits for use in the primary estimate.
                                                     with fatalities.                                        lost.                                                  To the extent these limited information
                                                       48 The Marine Information for Safety and Law
                                                                                                                The quantitative analysis of benefits               casualties are similar to those that
                                                     Enforcement (MISLE) is a database system managed
                                                     and used by the U.S. Coast Guard. MISLE is used
                                                                                                             entailed: A review of historical                       contain more detailed information, we
                                                     to store data on marine accidents, pollution            commercial fishing vessel casualties to                are likely to underestimate benefits. We
                                                     incidents, search and rescue cases, law enforcement     determine if they were within the                      have included these limited information
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                                                     activities, and vessel inspections/examinations. The    affected population as set by the                      casualties only in a high estimate and
                                                     public may access portions of the data contained on
                                                     the MISLE system through the Coast Guard
                                                                                                             proposed rule, an assessment of the                    not in our primary benefits estimate to
                                                     Maritime Information Exchange at: https://              applicability of each proposed rule                    show the a possible range of quantified
                                                     cgmix.uscg.mil/.                                        feature as it relates to the risk reduction            benefits.
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                                                     40460                             Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                                                                                         TABLE 20—SUMMARY OF ANNUALIZED BENEFITS
                                                                                                                                                     [7 Percent, $ millions]

                                                                                                                                                                                                                                   Estimation of benefits

                                                                                                                              Category                                                                                                          Primary + limited
                                                                                                                                                                                                                           Primary baseline        information
                                                                                                                                                                                                                               incidents             incidents

                                                     Survival Craft 49 ...........................................................................................................................................                      $4.8                     6.3
                                                     Examinations and Certificates of Compliance .............................................................................................                                           2.3                     3.1

                                                           Total ......................................................................................................................................................                   7.1                    9.4



                                                     Comparison of Costs and Benefits                                             million, with a primary estimate of                                          built vessels. As stated previously, one-
                                                       The annualized costs to government                                         monetized annualized benefits of $7.1                                        hundred percent of the costs of this rule
                                                     and industry for the proposed rule over                                      million at a 7 percent discount rate. We                                     are Congressionally mandated. The
                                                     the 10-year period are estimated at $39.7                                    did not estimate monetized benefits for                                      Coast Guard does not have the authority
                                                     million at a 7 percent discount rate. The                                    several requirements, including                                              to alter the provisions of this rule to
                                                     estimate of annualized quantified                                            recordkeeping for equipment                                                  lessen the economic impacts of this rule
                                                     benefits ranges between $7.1 and $9.4                                        maintenance and classing certain newly                                       on the fishing industry.

                                                                    TABLE 21—PROPOSED RULE, SUMMARY OF QUANTIFIED ANNUALIZED COSTS AND ANNUALIZED BENEFITS
                                                                                                                                             [7 Percent, Values in $ millions]

                                                                                                                                                   Primary                                                  High
                                                                                                       Annualized
                                                                                                        costs to
                                                                   Category                                                          Total                                                 Total                                         Benefits not captured
                                                                                                      industry and                                         Net annualized                                        Net annualized
                                                                                                                                   annualized                                            annualized
                                                                                                      government                                              benefits                                              benefits
                                                                                                                                    benefits                                              benefits

                                                     (1) Survival Craft 50 .............                             $9.1                       $4.8                     ($4.3)                        $6.3                  ($2.8)   Injuries (such as non-fatal
                                                                                                                                                                                                                                         hypothermia).
                                                     (3) Examination and Certifi-                                      8.6                        2.3                      (6.3)                         3.1                  (5.5)   Reduced property and envi-
                                                       cates of Compliance.                                                                                                                                                              ronmental damages, and
                                                                                                                                                                                                                                         injuries.

                                                           Total .............................                     17.70                          7.1                    (10.6)                          9.4                  (8.3)


                                                                                      TABLE 22—PROPOSED RULE, SUMMARY OF PROVISIONS—BENEFITS NOT QUANTIFIED
                                                                                                                                             [7 Percent, Values in $ millions]

                                                                                                                                      Annualized costs
                                                                                   Category                                            to industry and                                                            Beneficial impacts
                                                                                                                                         government

                                                     (2) Records ..........................................................                                $0.65       Enhances ability to determine and track compliance.
                                                     (4) Classing of Vessel, Third Party 51 ..................                                              21.2       Ensures vessel has safe design and is maintained as designed.

                                                           Total ..............................................................                                                                           21.85



                                                     Breakeven Analysis                                                           exceed the costs (Table 23). Overall, the                                    percent from the baseline of 19 annual
                                                        We also examined the risk reduction                                       proposed rule would need to prevent                                          casualties resulting from the loss of
                                                     from the total casualty baseline required                                    4.4 fatalities per year for the benefits to                                  fishing vessels.
                                                     for the benefits of the proposed rule to                                     equal the costs, a reduction of 23




                                                       49 The Coast Guard Authorization Act of 2015,                              survival craft on all CFVs to protect occupants                              exempts from that requirement CFVs of at least 50
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                                                     Public Law 114–120, amended 46 U.S.C. 3104 by                                against immersion in water. The survival craft                               and not more than 79 feet overall in length, and
                                                     removing language mandating that we require                                  provisions of 46 U.S.C. 4502 were unaffected and                             built after Feb. 8, 2016, provided their construction
                                                     survival craft on all CFVs to protect occupants                              therefore those provisions continue to apply to                              is overseen by a State-licensed naval architect or
                                                     against immersion in water. The survival craft                               subpart C survival craft. The 2015 legislation will
                                                                                                                                                                                                               marine engineer, and their design ‘‘incorporates
                                                     provisions of 46 U.S.C. 4502 were unaffected and                             be addressed in a future rulemaking.
                                                     therefore those provisions continue to apply to                                51 Sec. 318(a) of the Coast Guard Authorization
                                                                                                                                                                                                               standards equivalent to those prescribed by a
                                                     subpart C survival craft. The 2015 legislation will                                                                                                       classification society . . . or another qualified
                                                                                                                                  Act of 2015, Public Law 114–120, changed the
                                                     be addressed in a future rulemaking.                                         applicability of classing requirements for CFVs. The                         organization . . . .’’ This NPRM does not
                                                       50 The Coast Guard Authorization Act of 2015,                              2010 and 2012 legislation extended the classing                              incorporate any of the 2015 provisions, which must
                                                     Public Law 114–120, amended 46 U.S.C. 3104 by                                requirement to CFVs of 50 feet or more overall in                            be reflected in our regulations through future
                                                     removing language mandating that we require                                  length and built before July 1, 2013. The 2015 Act                           regulatory action.



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                                                                                        Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                                              40461

                                                                                            TABLE 23—PROPOSED RULE, BREAKEVEN ANALYSIS (7 PERCENT, $ MILLIONS).
                                                                                                                                                                                                                                                Percent
                                                                                                                                                                                                         Annualized                           reduction in
                                                                                                                                                                                                                             Fatalities
                                                                                                                                                                                                          costs to                            total fishing
                                                                                                        Proposed rule requirement                                                                                          prevented to
                                                                                                                                                                                                        industry and                          vessel loss
                                                                                                                                                                                                                            breakeven
                                                                                                                                                                                                        government                             casualties
                                                                                                                                                                                                                                             to breakeven

                                                     (1)   Survival Craft ..........................................................................................................................            $9.10                 1.0                5.3
                                                     (2)   Records ..................................................................................................................................             .70                 0.1                0.4
                                                     (3)   Examination and Certificates of Compliance .........................................................................                                   8.6                 0.9                  5
                                                     (4)   Classing of Vessel, Third Party 52 ..........................................................................................                        21.30                 2.3               12.3

                                                            Total for Authorization Act Requirements ............................................................................                                 39.7                4.4                 23



                                                     Alternatives                                                                   • Alternative 3: Regulation to Align                                 Coast Guard is implementing
                                                                                                                                 Non-Discretionary Requirements with                                     Alternative 3. Alternative 3 harmonizes
                                                        Consistent with Executive Order                                          Statute;                                                                Coast Guard regulations with statutes to
                                                     12866, an agency shall identify and                                            • Alternative 4: Discretionary                                       eliminate uncertainty and enhance
                                                     assess available alternatives to direct                                     Stringency in Dockside Examination                                      clarity. Under Alternatives 1 and 2,
                                                     regulation. The agency should consider                                      Frequency; and                                                          Coast Guard regulations and applicable
                                                     a range of potentially effective and                                           • Alternative 5: Discretionary                                       statutes would continue to be
                                                     reasonably feasible regulatory                                              Implementation of Person-in-Charge                                      inconsistent, leading to confusion and
                                                     alternatives. We analyzed and assessed                                      Training.                                                               uncertainty, particularly regarding
                                                     the effectiveness of the following                                             We conducted a screening of                                          enforcement authority. Alternatives 4
                                                     alternatives:                                                               alternatives based on an assessment of                                  and 5 have the potential to increase
                                                        • Alternative 1: No Action;                                              the negative and positive impacts. Table                                safety and costs, but both require the
                                                                                                                                 24 presents the results, which indicate                                 exercise of discretionary authority and
                                                        • Alternative 2: Implementation                                          that Alternative 3 is the preferred                                     should be subject to notice and public
                                                     through Guidance;                                                           alternative. In this proposed rule, the                                 comment before implementing.

                                                                                                                              TABLE 24—SCREENING OF ALTERNATIVES
                                                        Alternatives                         Description                                            Negative impacts                                                      Relative impacts

                                                     1 .......................     No Action ......................        CG regulations would be inconsistent with Fed-                               Safety improvements would be diminished due
                                                                                                                             eral mandate, generating uncertainty about                                   to confusion and uncertainty about compli-
                                                                                                                             compliance and enforcement.                                                  ance and enforcement.
                                                                                                                           Costs to industry would be incurred to comply
                                                                                                                             with Statute.
                                                     2 .......................     Implementation through                  CG regulations would be inconsistent with Fed-                               Guidance could reduce some confusion, but un-
                                                                                     Guidance.                               eral mandate, generating uncertainty about                                  certainty about compliance and enforcement
                                                                                                                             compliance and enforcement.                                                 would remain.
                                                                                                                           Costs to industry would be incurred to comply
                                                                                                                             with Statute.
                                                     3 .......................     Regulation to Align                     Costs to industry would be incurred to comply                                Increased safety due to survival craft, dockside
                                                                                    Non-Discretionary                        with regulations.                                                            examinations, and the classing of new ves-
                                                                                    Requirements with                                                                                                     sels.
                                                                                    Statute.                                                                                                            Harmonizes CG regulations with Statute to
                                                                                                                                                                                                          eliminate uncertainty about compliance and
                                                                                                                                                                                                          enforcement.
                                                     4 .......................     Discretionary Stringency                Added costs due to more frequent examinations                                Increased safety resulting from the more timely
                                                                                     in Dockside Examina-                  Requires exercise of discretionary authority .......                           identification of condition and compliance defi-
                                                                                     tion Frequency.                                                                                                      ciencies.
                                                                                                                                                                                                        Decrease in the incidence of deficiencies.
                                                     5 .......................     Discretionary Implemen-                 Added costs due to person in charge training ....                            Increased safety resulting from training on sea-
                                                                                     tation of Person-in-                  Requires exercise of discretionary authority .......                           manship, stability, collision prevention, naviga-
                                                                                     Charge Training.                                                                                                     tion, fire fighting and prevention, damage con-
                                                                                                                                                                                                          trol and emergency communication, personal
                                                                                                                                                                                                          survival, emergency medical care, emergency
                                                                                                                                                                                                          drills, and weather.
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                                                       52 Sec. 318(a) of the Coast Guard Authorization                           exempts from that requirement CFVs of at least 50                       classification society . . . or another qualified
                                                     Act of 2015, Public Law 114–120, changed the                                and not more than 79 feet overall in length, and                        organization . . .’’ This NPRM does not incorporate
                                                     applicability of classing requirements for CFVs. The                        built after Feb. 8, 2016, provided their construction                   any of the 2015 provisions, which must be reflected
                                                     2010 and 2012 legislation extended the classing                             is overseen by a State-licensed naval architect or                      in our regulations through future regulatory action.
                                                     requirement to CFVs of 50 feet or more overall in                           marine engineer, and their design ‘‘incorporates
                                                     length and built before July 1, 2013. The 2015 Act                          standards equivalent to those prescribed by a



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                                                     40462                          Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     B. Small Entities                                                 operational purposes a 4.9 net ton vessel                 We assume that the remaining 3,273
                                                       The Regulatory Flexibility Act of 1980                          is very similar in equipment, manning,                    owners of 3,375 vessels (for which
                                                     (RFA), 5 U.S.C. 601–612, as amended by                            operations and fisheries to a 5 net ton                   revenue information was unavailable)
                                                     the Small Business Regulatory                                     vessel, but one is classified as                          are small businesses for the purpose of
                                                     Enforcement Fairness Act of 1996 (Pub.                            undocumented (≤4.9 net tons) and the                      this analysis. Of those 360 owners for
                                                     L. 104–121), requires Federal agencies                            other is documented (≥5 net tons).                        which revenue and employment
                                                     to consider the potential impact of                               Given that the operational area, defined                  information was available, we found 17
                                                     regulations on small businesses, small                            by operating beyond 3 nautical miles of                   entities owning 204 vessels that
                                                     governmental jurisdictions, and small                             the baseline, indicates similar                           exceeded the small business thresholds
                                                     organizations during the development of                           operations and fisheries, and because                     for their relevant NAICS code. The
                                                     their rules.                                                      smaller vessel size is inversely related to               remaining 343 entities owning the
                                                       The Coast Guard prepared an analysis                            operating beyond three nautical miles,                    remaining 558 vessels are small
                                                     on the potential economic impacts of                              using documented vessels to represent                     businesses as defined by the NAICS
                                                     this proposed rule on small entities. A                           impacts to small entities is a reasonable                 thresholds.
                                                     combined Regulatory Analysis and                                  proxy and is the best data available. As                     Table 25 summarizes the proposed
                                                     Initial Regulatory Flexibility Analysis                           such, undocumented vessels that                           rule cost on a per vessel basis. If a vessel
                                                     discussing the impact the proposed rule                           operate beyond three nautical miles are                   incurs all of the cost items, the
                                                     would have on small entities is                                   assumed to be represented within the                      maximum total initial and recurring
                                                     available in the docket where indicated                           revenue distribution of documented                        costs are $812,358 and $11,118
                                                     under the ‘‘Public Participation and                              vessels and other vessel characteristics                  respectively. We estimate that the 260
                                                     Request for Comments’’ section of this                            (age, structural integrity, etc.).                        vessels that undergo classing would
                                                     preamble.                                                            In our review of the MISLE ownership                   incur the maximum cost, representing
                                                       Based on the current data provided by                           data for documented fishing vessels, we                   less than 1 percent of the affected
                                                     the Coast Guard’s MISLE database, we                              found 1,612 vessel owners of 1,615                        population. To reflect a more likely cost
                                                     estimate that there are potentially                               vessels that had a non-business                           impact on the typical commercial
                                                     16,730 owners of 17,237 documented                                organization type. Of these, 1,562                        fishing vessel, we calculate a weighted
                                                     commercial fishing vessels. As we do                              vessels are owned by an organization                      cost using a Monte Carlo simulation
                                                     not have data that distinguishes those                            that had an ‘‘unknown’’ organization                      described in Appendix H of the
                                                     vessels that operate beyond and within                            type, 4 are owned by the Federal                          Regulatory Impact Analysis. Assigning
                                                     3 nautical miles of the baseline, we use                          government, 45 are owned by trusts, and                   the full burden of the cost to the
                                                     documented fishing vessels as a proxy                             4 are owned by non-profits.                               remaining population of 35,855 would
                                                     for the 36,115 vessels that operate                                  Of the remaining documented                            distort the estimated regulatory
                                                     beyond 3 nautical miles for the                                   commercial fishing vessels, almost all                    burden 54. The weighted
                                                     purposes of determining the ownership                             (over 99 percent) are owned by small                      implementation and recurring cost, on a
                                                     characteristics and revenues of small                             businesses, as determined by SBA small                    per vessel basis, for requirements (1),
                                                     entities under the proposed rule.                                 business size standards.53 Many of the                    (2), (3), and (4) are $7,643 and $897,
                                                     Operations and fisheries for                                      small businesses are classified as NAICS                  respectively. For the most part,
                                                     undocumented vessels operating                                    141111 (Finfish) and 141112 (Shellfish),                  commercial fishing vessel owners own 1
                                                     beyond 3 nautical miles are similar to                            although many have a non-fishing                          vessel. In our sample, when an entity
                                                     small documented vessels that operate                             primary NAICS classification. Of this                     owns more than 1 vessel, we calculate
                                                     beyond 3 nautical miles. Although by                              target population, we examined publicly                   the cost per entity by multiplying the
                                                     definition undocumented vessels are                               available revenue information on 360                      cost per vessel by the number of vessels
                                                     smaller than documented vessels, for                              vessel owners that owned 762 vessels.                     owned.

                                                                                                TABLE 25—PROPOSED RULE WEIGHTED AVERAGE COST PER VESSEL
                                                                                                                                                                     Maximum costs                       Weighted costs 55
                                                                                                                     Affected
                                                                         Requirement                                                      Weight
                                                                                                                    population                                   Initial         Recurring             Initial          Recurring

                                                     (1) Survival Craft ......................................               24,771            68.6%                 $1,740              $300              $1,193               $206
                                                     (2) Records ..............................................              36,115             100.0                    18                18                  18                 18
                                                     (3) Examinations and Certificates of
                                                       Completion ...........................................                36,115             100.0                  600                 600                 600                600
                                                     (4) Classing of Vessels, Third Party 56 ....                               260               0.7              810,000              10,200               5,831                 73

                                                           Total Cost per Vessel .......................                                                           812,358              11,118               7,643                897


                                                        53 SBA small business standards are based on                      55 The weighted costs is a calculation of a vessel’s   and not more than 79 feet overall in length, and
                                                     either company revenue or number of employees.                    cost in which each regulatory requirement is              built after Feb. 8, 2016, provided their construction
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                                                     Many companies in our sample have employee                        proportionately weighted by the affected                  is overseen by a State-licensed naval architect or
                                                     numbers determining them small, but we were                       population. That is, each regulatory requirement is       marine engineer, and their design ‘‘incorporates
                                                     unable to find annual revenue data to pair with the               assigned a weight based on the relative size of the
                                                                                                                                                                                 standards equivalent to those prescribed by a
                                                     employee data.                                                    affected population.
                                                        54 In an effort to capture the impact of                          56 Sec. 318(a) of the Coast Guard Authorization        classification society . . . . or another qualified
                                                     requirement ‘‘(4) Classing of Vessels, Third Party,’’             Act of 2015, Pub. L. 114–120, changed the                 organization. . . .’’ This NPRM does not
                                                     we simulated the costs based on probability.                      applicability of classing requirements for CFVs. The      incorporate any of the 2015 provisions, which must
                                                     Specifically, we used a Monte Carlo simulation to                 2010 and 2012 legislation extended the classing           be reflected in our regulations through future
                                                     better understand the uncertainty in our costs                    requirement to CFVs of 50 feet or more overall in         regulatory action.
                                                     estimate. For a more detailed discussion, refer to                length and built before July 1, 2013. The 2015 Act
                                                     Appendix H.                                                       exempts from that requirement CFVs of at least 50



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                                                                                        Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                                               40463




                                                       For the initial implementation period,                                     revenues. (Table 25). For the recurring                                       mandatory provisions required by
                                                     based on MANTA revenue estimates, 18                                         costs, 74 percent of fishing vessel                                           Congress and for which the Coast Guard
                                                     percent of affected owners will incur a                                      owners will incur 1 percent or less of                                        cannot exercise discretion. Therefore,
                                                     cost of 1 percent or less of revenues,                                       revenues. The Coast Guard expects this                                        the Coast Guard does not have the
                                                     while 17 percent will incur a cost                                           rule will have a significant economic                                         authority to grant relief to small
                                                     impact of between 10 and 30 percent of                                       impact on a substantial number of small                                       businesses from the cost of this rule.
                                                     revenues. Approximately 6 percent will                                       entities. As discussed previously, this
                                                     incur costs greater than 30 percent of                                       rulemaking would implement only the

                                                                                                          TABLE 26—REVENUE IMPACTS ON AFFECTED SMALL BUSINESSES
                                                                                                                                                                                                                                    Initial     Recurring
                                                                                                                                                                                                                               implementation
                                                                                                                              Impact range                                                                                                       impact
                                                                                                                                                                                                                                   impact       (percent)
                                                                                                                                                                                                                                  (percent)

                                                     0% < Impact ≤ 1% ...........................................................................................................................................                          18                74
                                                     1 < Impact ≤ 3 .................................................................................................................................................                      21                19
                                                     3 < Impact ≤ 5 .................................................................................................................................................                      13                 3
                                                     5 < Impact ≤ 10 ...............................................................................................................................................                       24                 2
                                                     10 < Impact ≤ 30 .............................................................................................................................................                        17               1.5
                                                     ≥ 30 ..................................................................................................................................................................                6               0.3
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                                                     C. Assistance for Small Entities                                             participate in the rulemaking. If the rule                                    CONTACT).   The Coast Guard will not
                                                                                                                                  would affect your small business,                                             retaliate against small entities that
                                                       Under section 213(a) of the Small
                                                                                                                                  organization, or governmental                                                 question or complain about this rule or
                                                     Business Regulatory Enforcement
                                                                                                                                  jurisdiction and you have questions                                           any policy or action of the Coast Guard.
                                                     Fairness Act of 1996 (Pub. L. 104–121),
                                                     we want to assist small entities in                                          concerning its provisions or options for                                        Small businesses may send comments
                                                     understanding this rule so that they can                                     compliance, please contact the Coast                                          on the actions of Federal employees
                                                     better evaluate its effects on them and                                      Guard (see FOR FURTHER INFORMATION                                            who enforce, or otherwise determine
                                                                                                                                                                                                                                                                  EP21JN16.003</GPH>




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                                                     40464                          Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     compliance with, Federal regulations to                                OMB Control Number: 1625–0061.                                      new regulatory requirements for
                                                     the Small Business and Agriculture                                     Summary of the Collection of                                        dockside examinations, and
                                                     Regulatory Enforcement Ombudsman                                     Information: Sections 28.140, 28.155,                                 documentation of certain activities.
                                                     and the Regional Small Business                                      28.201, and 28.270 of this proposed rule                                 Description of Respondents: The
                                                     Regulatory Fairness Boards. The                                      would amend the collection-of-                                        respondents are vessel owners and
                                                     Ombudsman evaluates these actions                                    information requirements for vessel                                   operators of certain U.S. commercial
                                                     annually and rates each agency’s                                     owners and operators of certain U.S.                                  fishing vessels.
                                                     responsiveness to small business. If you                             commercial fishing vessels. These
                                                     wish to comment on actions by                                        changes would require vessel owners                                      Number of Respondents: This
                                                     employees of the Coast Guard, call 1–                                and operators that operate beyond 3                                   proposed rule would increase the
                                                     888–REG–FAIR (1–888–734–3247).                                       nautical miles of the baseline to                                     number of respondents in this OMB-
                                                                                                                          document lifesaving equipment                                         approved collection by 36,115 as
                                                     D. Collection of Information                                         maintenance and inspection and                                        operators of certain commercial fishing
                                                        This proposed rule calls for a revision                           instructions and drills.                                              vessels would need to document
                                                     to an existing collection of information                               Vessel owners and operators of                                      dockside examinations, and certain
                                                     under the Paperwork Reduction Act of                                 subpart C CFVs (those operating beyond                                maintenance activities.
                                                     1995 (44 U.S.C. 3501–3520). As defined                               3 nautical miles, or with more than 16                                   Frequency of Response: This
                                                     in 5 CFR 1320.3(c), ‘‘collection of                                  individuals on board, or that are                                     proposed rule would vary the number of
                                                     information’’ comprises reporting,                                   Aleutian fish tenders) must also                                      responses each year by requirement.
                                                     recordkeeping, monitoring, posting,                                  document the completion of a dockside                                 Details are shown in Table 27.
                                                     labeling, and other, similar actions. The                            examination at least once every 5 years.
                                                     title and description of the information                                                                                                      Burden of Response: The burden of
                                                                                                                          These new requirements would require
                                                     collections, a description of those who                                                                                                    response for each regulatory
                                                                                                                          a change in previously approved OMB
                                                     must collect the information, and an                                                                                                       requirement varies. Details are shown in
                                                                                                                          Collection 1625–0061.
                                                     estimate of the total annual burden                                    Need for Information: The Coast                                     Table 27.
                                                     follow. The estimate covers the time for                             Guard needs this information to                                          Estimate of Total Annual Burden: The
                                                     reviewing instructions, searching                                    determine whether a vessel meets the                                  annual increase in burden from this rule
                                                     existing sources of data, gathering and                              new regulatory requirements for                                       would be approximately 20,251 hours.
                                                     maintaining the data needed, and                                     dockside examinations, and                                            That includes 14,446 hours from the
                                                     completing and reviewing the                                         documentation of certain activities.                                  private sector (36,115 responses) and an
                                                     collection.                                                            Proposed Use of Information: The                                    additional government burden
                                                        Title: Commercial Fishing Industry                                Coast Guard would use this information                                estimated at 5,805 hours for 23,221
                                                     Vessel Regulations.                                                  to determine whether a vessel meets the                               responses.

                                                                                                   TABLE 27—COLLECTION OF INFORMATION BY NPRM REQUIREMENT
                                                                                                                                      Annual           Number                             Number of              Total
                                                                                                                    Duration                                              Wage                                                   Annual        Annual
                                                        NPRM requirement                     Frequency                                duration           of                               responses           number of
                                                                                                                    (hours)                                               rate                                                   burden         cost
                                                                                                                                      (hours)          vessels                             per year           responses

                                                     Records, Documenta-                  Varies ............               0.4               0.4         36,115                $45                      1         36,115          14,446     $652,324
                                                       tion of Equipment
                                                       Maintenance, and In-
                                                       spection.
                                                     Examination and Certifi-             Once over the                    0.25             0.25          23,221                  45                     1         23,221           5,805      262,142
                                                       cates of Compliance,                first three
                                                       Documentation.                      years.

                                                     Additional Burden for NPRM ...........................................................................................................................        59,336          20,251      914,465

                                                     Government Costs, Ex-                Once over the                    0.25             0.25          23,221                  66                     1         23,221           5,805      377,341
                                                      amination and Certifi-               first three
                                                      cates of Compliance.                 years.



                                                        As required by the Paperwork                                      quality, usefulness, and clarity of the                               need to approve the Coast Guard’s
                                                     Reduction Act of 1995, 44 U.S.C.                                     information; and how we can minimize                                  request to collect this information.
                                                     3,507(d), we have submitted a copy of                                the burden of collection.
                                                                                                                                                                                                E. Federalism
                                                     this rule and an information request to                                If you submit comments on the
                                                     OMB for its review of the collection of                                                                                                       A rule has implications for federalism
                                                                                                                          collection of information, submit them                                under Executive Order 13132 57 if it has
                                                     information.                                                         both to OMB and to the Docket                                         a substantial direct effect on the States,
                                                        We ask for public comment on the                                  Management Facility where indicated
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                                                                                                                                                                                                on the relationship between the national
                                                     collection of information to help us                                 under ADDRESSES, by the date under                                    government and the States, or on the
                                                     determine how useful the information                                 DATES.
                                                                                                                                                                                                distribution of power and
                                                     is; whether it can help us perform our                                 You need not respond to a collection                                responsibilities among the various
                                                     functions better; whether it is readily                              of information unless it displays a                                   levels of government. We have analyzed
                                                     available elsewhere; how accurate our                                currently valid control number from                                   this rule under that Order and have
                                                     estimate of the burden of collection is;                             OMB. Before the Coast Guard could                                     determined that it is consistent with the
                                                     how valid our methods for determining                                enforce the collection of information
                                                     burden are; how we can improve the                                   requirements in this rule, OMB would                                     57 ‘‘Federalism,’’   64 FR 43255 (Aug. 4, 1999).



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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                            40465

                                                     fundamental federalism principles and                   dockside examinations and the issuance                 The regulations promulgated under 46
                                                     preemption requirements described in                    of certificates of compliance for these                U.S.C. 5104 with respect to load lines
                                                     Executive Order 13132. Our analysis is                  vessels. The Coast Guard has been                      for these vessels are within a field
                                                     explained below.                                        granted the exclusive authority to                     foreclosed from state or local regulation.
                                                        As noted above, this proposed rule                   promulgate regulations within the fields                  Lastly, Congress enacted 46 U.S.C.
                                                     would implement the statutory                           of training 58 and certification of                    2117, which grants the Coast Guard the
                                                     requirements enacted by the CGAA and                    individuals in charge, record-keeping,                 authority to terminate a commercial
                                                     CGMTA. In certain instances, Congress                   dockside examinations, and the                         fishing vessel’s operations if an
                                                     amended the scope and applicability of                  issuance of certificates of compliance                 authorized individual determines that
                                                     existing laws for uninspected                           for subpart C CFVs, and consequently                   unsafe conditions exist. For these
                                                     commercial fishing vessels. For                         these regulations are also within fields               specific vessels, Congress granted to the
                                                     instance, the CGAA amended the                          foreclosed from state or local regulation.             Coast Guard the exclusive authority to
                                                     applicability of 46 U.S.C. 4502(b)(1) so                   Congress also established a new                     enforce this section and to issue
                                                     that previously promulgated equipment                   subsection in 46 U.S.C. 4502 that                      regulations pertaining to the termination
                                                     regulations are now required for                        requires documented and                                of unsafe operations. These regulations,
                                                     undocumented commercial fishing                         undocumented uninspected fishing                       therefore, would be within a field
                                                     vessels. Additionally, Congress changed                 vessels, fish processing vessels, or fish              foreclosed from state or local regulation.
                                                     the applicability of the statute to                     tender vessels, that operate beyond 3                     While it is well settled that States may
                                                     commercial fishing vessels that operate                 nautical miles from the baseline, operate              not regulate in categories in which
                                                     beyond ‘‘3 nautical miles from the                      with more than 16 individuals on board,
                                                                                                                                                                    Congress intended the Coast Guard to be
                                                     baseline from which the territorial sea of              or that is a fish tender vessel that
                                                                                                                                                                    the sole source of a vessel’s obligations,
                                                     the United States is measured or beyond                 engages in the Aleutian trade, to meet a
                                                                                                                                                                    the Coast Guard recognizes the key role
                                                     3 nautical miles from the coastline of                  level of safety equivalent to the
                                                                                                                                                                    that State and local governments may
                                                     the Great Lakes.’’ Therefore, regulations               minimum safety standards established
                                                                                                                                                                    have in making regulatory
                                                     promulgated under 46 U.S.C. 4502(b)(1),                 by the Coast Guard for recreational
                                                                                                                                                                    determinations. Additionally, for rules
                                                     including those promulgated under its                   vessels, promulgated under 46 U.S.C.
                                                                                                                                                                    with federalism implications and
                                                     amended applicability, are within fields                4302, so long as these commercial
                                                                                                                                                                    preemptive effect, Executive Order
                                                     foreclosed from state or local regulation.              fishing vessels are less than 50 feet
                                                        Congress also amended existing 46                                                                           13132 specifically directs agencies to
                                                                                                             overall in length and are built after
                                                     U.S.C. 4502(b)(2), which directed the                   January 1, 2010. Regulations                           consult with State and local
                                                     Coast Guard, via delegation by the                      promulgated under 46 U.S.C. 4302 are                   governments during the rulemaking
                                                     Secretary, to promulgate regulations in                 within fields that Congress gave the                   process. If you believe this rule has
                                                     the field of marine radios, survival craft,             Coast Guard the exclusive authority to                 implications for federalism under
                                                     navigation equipment, medical                           regulate, and therefore, these regulations             Executive Order 13132, please contact
                                                     supplies, and ground tackle for both                    are within fields foreclosed from state or             the person listed in the FOR FURTHER
                                                     documented and undocumented                                                                                    INFORMATION section of this preamble.
                                                                                                             local regulation.
                                                     uninspected fishing vessels, fish                          Additionally, Congress expanded the                 F. Unfunded Mandates Reform Act
                                                     processing vessels, or fish tender                      applicability of 46 U.S.C. 4503 for
                                                     vessels, that operate beyond three                      survey and classification requirements                    The Unfunded Mandates Reform Act
                                                     nautical miles from the baseline, operate               to documented or undocumented                          of 1995, 2 U.S.C. 1531–1538, requires
                                                     with more than 16 individuals on board,                 uninspected fishing vessels, fish                      Federal agencies to assess the effects of
                                                     or that is a fish tender vessel that                    processing vessels, or fish tender                     their discretionary regulatory actions. In
                                                     engages in the Aleutian trade. The Coast                vessels, that operate beyond 3 nautical                particular, the Act addresses actions
                                                     Guard has been granted the exclusive                    miles from the baseline, operate with                  that may result in the expenditure by a
                                                     authority to promulgate regulations                     more than 16 individuals on board, or                  State, local, or Tribal government, in the
                                                     within these fields for these specific                  that is a fish tender vessel that engages              aggregate, or by the private sector of
                                                     vessels and, consequently, these                        in the Aleutian trade, and that are also               $100,000,000 (adjusted for inflation) or
                                                     regulations are within fields foreclosed                at least 50 feet overall in length and are             more in any one year. Though this
                                                     from state or local regulation.                         built after July 1, 2013. The Coast Guard              proposed rule would not result in such
                                                        Congress also directed the Coast                     has been granted the exclusive authority               an expenditure, we do discuss the
                                                     Guard, via delegation by the Secretary,                 to promulgate regulations for survey and               effects of this rule elsewhere in this
                                                     to promulgate additional regulations                    classification requirements for these                  preamble.
                                                     under for documented and                                specific vessels and, consequently, these              G. Taking of Private Property
                                                     undocumented uninspected commercial                     regulations are within fields foreclosed
                                                     fishing vessels, fish processing vessels,               from state or local regulation.                          This proposed rule would not cause a
                                                     or fish tender vessels, that operate                       Furthermore, Congress amended 46                    taking of private property or otherwise
                                                     beyond three nautical miles from the                    U.S.C. 5102, so that fishing vessels built             have taking implications under
                                                     baseline, operate with more than 16                     after July 1, 2013, must now be assigned               Executive Order 12630, Governmental
                                                     individuals on board, or that is a fish                 a load line. The Coast Guard has been                  Actions and Interference with
                                                     tender vessel that engages in the                       granted the exclusive authority to                     Constitutionally Protected Property
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                                                     Aleutian trade. Specifically, Congress                  promulgate load line requirements for                  Rights.
                                                     directed the Coast Guard to promulgate                  fishing vessels built after July 1, 2013.              H. Civil Justice Reform
                                                     regulations for the training and
                                                     certification of individuals in charge of                 58 Because regulations on training require the          This proposed rule meets applicable
                                                     these vessels, regulations requiring the                exercise of the Coast Guard’s discretion, and this     standards in sections 3(a) and 3(b)(2) of
                                                     individuals in charge of these vessels to               proposed rule would be confined to implementing        Executive Order 12988, Civil Justice
                                                                                                             those statutory mandates that do not require the
                                                     maintain a record of equipment                          exercise of discretion, training will be the subject
                                                                                                                                                                    Reform, to minimize litigation,
                                                     maintenance, required instruction and                   of future Coast Guard regulatory action and is not     eliminate ambiguity, and reduce
                                                     drills, and regulations that require                    covered by the proposed rule.                          burden.


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                                                     40466                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     I. Protection of Children                               technical standards (e.g., specifications                        Title 46—Shipping
                                                                                                             of materials, performance, design, or
                                                       This rule is neither economically                                                                                      PART 28—REQUIREMENTS FOR
                                                                                                             operation; test methods; sampling
                                                     significant under Executive Order 12866                                                                                  COMMERCIAL FISHING INDUSTRY
                                                                                                             procedures; and related management
                                                     nor does it create an environmental risk                                                                                 VESSELS
                                                                                                             systems practices) that are developed or
                                                     to health or a risk to safety within the
                                                                                                             adopted by voluntary consensus
                                                     meaning of Executive Order 13045,
                                                                                                             standards bodies.                                                ■ 1. The authority citation for part 28 is
                                                     Protection of Children From                               This proposed rule does not use                                revised to read as follows:
                                                     Environmental Health Risks and Safety                   technical standards. Therefore, we did
                                                     Risks.                                                                                                                     Authority: 46 U.S.C. 2103, 3316, 4502,
                                                                                                             not consider the use of voluntary                                4505, 4506, 6104, 10603; Department of
                                                     J. Indian Tribal Governments                            consensus standards.                                             Homeland Security Delegation No. 0170.1,
                                                        This rule does not have tribal                       M. Environment                                                   para. II (92.a), (92.b), (92.d), (92.g).
                                                     implications under Executive Order                         We have analyzed this proposed rule                           ■ 2. Amend § 28.65 by revising
                                                     13175, Consultation and Coordination                    under Department of Homeland                                     paragraph (a) to read as follows and by
                                                     with Indian Tribal Governments,                         Security Management Directive 023–01                             removing paragraph (c).
                                                     because it does not have a substantial                  and Commandant Instruction
                                                     direct effect on one or more Indian                     M16475.lD, which guide the Coast                                 § 28.65    Termination of unsafe operations.
                                                     tribes, on the relationship between the                 Guard in complying with the National
                                                     Federal Government and Indian tribes,                                                                                       (a) A Coast Guard Boarding Officer is
                                                                                                             Environmental Policy Act of 1969 (42                             an individual authorized to enforce
                                                     or on the distribution of power and                     U.S.C. 4321–4370f), and have concluded
                                                     responsibilities between the Federal                                                                                     Title 46 of the United States Code for
                                                                                                             that this action is one of a category of                         the purposes of 46 U.S.C. 2117 and
                                                     Government and Indian tribes.                           actions that do not individually or
                                                                                                                                                                              may—
                                                     K. Energy Effects                                       cumulatively have a significant effect on
                                                                                                             the human environment. This proposed                                (1) Remove a certificate required by
                                                        We have analyzed this rule under                     rule is categorically excluded under                             Title 46 from a vessel that is operating
                                                     Executive Order 13211, Actions                          section 2.B.2, figure 2–1, paragraph                             in a condition that does not comply
                                                     Concerning Regulations That                             (34)(c), (d), and (e) of the Instruction,                        with the provisions of the certificate;
                                                     Significantly Affect Energy Supply,                     and under sections 6(a) and 6(b) of the                             (2) Order the master of a vessel that
                                                     Distribution, or Use. We have                           ‘‘Appendix to National Environmental                             is operating that does not have onboard
                                                     determined that it is not a ‘‘significant               Policy Act: Coast Guard Procedures for                           the certificate required by Title 46 to
                                                     energy action’’ under that order. Though                Categorical Exclusions, Notice of Final                          return the vessel to a mooring and to
                                                     it is a ‘‘significant regulatory action’’               Agency Policy’’ (67 FR 48243, July 23,                           remain there until the vessel is in
                                                     under Executive Order 12866, it is not                  2002). This proposed rule involves                               compliance with that title; and
                                                     likely to have a significant adverse effect             training of personnel, inspection and
                                                     on the supply, distribution, or use of                                                                                      (3) Direct the master of a vessel to
                                                                                                             equipping of vessels, equipment
                                                     energy. The Administrator of the Office                 approval and carriage requirements,                              which Title 46 applies to immediately
                                                     of Information and Regulatory Affairs                   vessel operation safety equipment and                            take reasonable steps necessary for the
                                                     has not designated it as a significant                  standards, and congressionally                                   safety of individuals onboard the vessel
                                                     energy action. Therefore, it does not                   mandated regulations that protect the                            if the Boarding Officer observes the
                                                     require a Statement of Energy Effects                   environment. An environmental                                    vessel being operated in an unsafe
                                                     under Executive Order 13211.                            analysis checklist is available in the                           condition that the official believes
                                                                                                             docket where indicated under                                     creates an especially hazardous
                                                     L. Technical Standards                                                                                                   condition, including ordering the master
                                                                                                             ADDRESSES.
                                                       The National Technology Transfer                                                                                       to return the vessel to a mooring and
                                                     and Advancement Act (15 U.S.C. 272                      List of Subjects in 46 CFR Part 28                               remain there until the situation creating
                                                     note) directs agencies to use voluntary                   Alaska, Fire prevention, Fishing                               the hazard is corrected or ended.
                                                     consensus standards in their regulatory                 vessels, Incorporation by reference,                             *      *    *     *     *
                                                     activities unless the agency provides                   Marine safety, Occupational safety and                           ■ 3. Amend § 28.110 by revising Table
                                                     Congress, through OMB, with an                          health, Reporting and recordkeeping                              28.110 to read as follows:
                                                     explanation of why using these                          requirements, Seamen.
                                                     standards would be inconsistent with                      For the reasons discussed in the                               § 28.110 Life preservers or other personal
                                                     applicable law or otherwise impractical.                preamble, the Coast Guard proposes to                            flotation devices.
                                                     Voluntary consensus standards are                       amend 46 CFR part 28 as follows:                                 *      *       *    *    *

                                                                                       TABLE 28.110—PERSONAL FLOTATION DEVICES AND IMMERSION SUITS
                                                                          Applicable waters                                        Vessel type                            Devices required            Other regulations

                                                     Beyond 3 nautical miles from the baseline from which              Documented ......................             Immersion suit or exposure   28.135; 25.25–9(a); 25.25–
                                                        the territorial sea of the U.S. is measured and north                                                          suit.                        13; 25.25–15.
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                                                        of 32°N or south of 32°S; and Lake Superior.
                                                     Coastal waters on the west coast of the U.S. north of             All .......................................   Immersion suit or exposure   28.135; 25.25–9(a); 25.25–
                                                        Point Reyes, CA; beyond coastal waters, cold water;                                                            suit.                        13; 25.25–15.
                                                        and Lake Superior.
                                                     All other waters (includes all Great Lakes except Lake            40 feet (12.2 meters) or                      Type I, Type V commercial    28.135; 25.25–5(e); 25.25–
                                                        Superior).                                                       more in length.                               hybrid, immersion suit,      5(f); 25.25–9(a); 25.25–
                                                                                                                                                                       or exposure suit.1           13; 25.25–15.




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                                                                              Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules                                                40467

                                                                              TABLE 28.110—PERSONAL FLOTATION DEVICES AND IMMERSION SUITS—Continued
                                                                          Applicable waters                                     Vessel type                    Devices required            Other regulations

                                                                                                                        Less than 40 feet (12.2          Type I, Type II, Type III,    28.135; 25.25–5(e); 25.25–
                                                                                                                          meters) in length.               Type V commercial hy-         5(f); 25.25–9(a); 25.25–
                                                                                                                                                           brid, immersion suit, or      13; 25.25–15.
                                                                                                                                                           exposure suit.1
                                                       1 Certain Type V personal flotation devices are approved for substitution for Type I, II, or III personal flotation devices when used in accord-
                                                     ance with the conditions stated in the Coast Guard approval table.


                                                     ■ 4. In § 28.120, add paragraph (i) to                    (b) The individual in charge of a                    § 28.205 Fireman’s outfits and self-
                                                     read as follows:                                        vessel described in paragraph (a) of this              contained breathing apparatus.
                                                                                                             section must keep a record of equipment                  For any documented vessel to which
                                                     § 28.120   Survival craft.                              maintenance, and required instruction                  this subpart applies:
                                                     *     *     *     *      *                              and drills for three years.                            *     *    *     *    *
                                                       (i) On any vessel to which subpart C                  ■ 9. Add § 28.201 to read as follows:
                                                     of this part applies, a survival craft                                                                         § 28.210   [Amended]
                                                     described in this section must ensure                   § 28.201    Examination and certification.
                                                                                                                                                                    ■  12. Amend § 28.210 as follows:
                                                     that no part of an individual is                           (a) Each vessel to which this subpart               ■  a. In paragraph (a), remove the words
                                                     immersed in water.                                      applies must be examined at dockside at                ‘‘medicine chest of a size suitable for the
                                                     ■ 5. Amend § 28.130 by adding                           least once every 5 years. Topics and                   number of individuals on board’’, and
                                                     paragraph (e) to read as follows:                       equipment covered by the examination                   add, in their place, the words ‘‘medical
                                                                                                             are listed on the Coast Guard Web site,                supplies sufficient for the size and area
                                                     § 28.130   Survival craft equipment.                    www.fishsafe.info/, and generally cover                of operation of the vessel, which on
                                                     *     *     *     *      *                              lifesaving equipment, required
                                                       (e) On any vessel to which subpart C                                                                         documented vessels must be in a readily
                                                                                                             documentation, bridge and engine room                  accessible location’’;
                                                     of this part applies, a survival craft                  equipment, and miscellaneous required                  ■ b. In paragraph (b) introductory text,
                                                     described in this section must ensure                   items. Each vessel meeting the
                                                     that no part of an individual is                                                                               before the words ‘‘certification in first
                                                                                                             applicable requirements of 46 U.S.C.                   aid and CPR’’, add the words ‘‘On any
                                                     immersed in water.                                      chapter 45, ‘‘Uninspected Commercial
                                                     ■ 6. Add § 28.170 to read as follows:
                                                                                                                                                                    documented vessel,’’;
                                                                                                             Fishing Vessels,’’ is issued a Coast                   ■ c. In paragraph (b), remove the word
                                                     § 28.170   Load lines.                                  Guard certificate of compliance                        ‘‘Certification’’ and add in its place the
                                                                                                             following examination.                                 word ‘‘certification’’; and
                                                       Each fishing vessel built after July 1,
                                                                                                                (b) Each vessel to which this subpart               ■ d. In paragraphs (c), (d), and (e), after
                                                     2013, must be assigned a load line in
                                                                                                             applies that is at least 50 feet overall in            the word ‘‘Each’’ and before the word
                                                     accordance with Subchapter E (Load
                                                                                                             length and built after July 1, 2013,                   ‘‘vessel’’, add the word ‘‘documented’’.
                                                     Lines) of this chapter if it is 79 feet in
                                                                                                             must—                                                  ■ 13. Amend § 28.215 by adding
                                                     length or greater, and operates outside                    (1) Meet all survey and classification
                                                     the Boundary Line (per part 7 of this                                                                          introductory text to read as follows:
                                                                                                             requirements prescribed by the
                                                     chapter).                                               American Bureau of Shipping, available                 § 28.215   Guards for exposed hazards.
                                                     ■ 7. Revise the heading for 46 CFR part
                                                                                                             at http://homeport.uscg.mil, or another                   For any documented vessel to which
                                                     28, subpart C, to read as follows:                      similarly qualified organization                       this subpart applies:
                                                     Subpart C—Requirements for Vessels                      approved by the Coast Guard; and
                                                                                                                (2) Have onboard a certificate issued               *     *      *    *    *
                                                     Operating Beyond 3 Nautical Miles, or                                                                          ■ 14. Amend § 28.225 as follows:
                                                     With More Than 16 Individuals                           by the American Bureau of Shipping or
                                                                                                                                                                    ■ a. Redesignate paragraphs (a) and (b)
                                                     Onboard, or As Fish Tender Vessels                      that other organization evidencing
                                                                                                             compliance with paragraph (b) of this                  as paragraphs (b) and (c), respectively,
                                                     Engaged in the Aleutian Trade                                                                                  and add new paragraph (a); and
                                                                                                             section.
                                                                                                                (c) A vessel to which this subpart                  ■ b. In newly redesignated paragraph (b)
                                                     ■  8. Amend § 28.200 as follows:
                                                     ■  a. Revise the section heading;                       applies that is at least 50 feet overall in            introductory text and in newly
                                                     ■  b. Designate the introductory text as                length and was classed before July 1,                  redesignated paragraph (c) after the
                                                     new paragraph (a) and remove the word                   2012, must remain subject to the                       word ‘‘Each’’ and before the word
                                                     ‘‘documented,’’ and redesignate existing                requirements of a classification society               ‘‘vessel’’, add the word ‘‘documented’’.
                                                     paragraphs (a), (b), and (c) as paragraphs              approved by the Coast Guard and have                      The addition to read as follows:
                                                     (a)(1), (2), and (3), respectively;                     onboard a certificate from that society.               § 28.225   Navigational information.
                                                     ■ c. In newly redesignated paragraph                    ■ 10. Add § 28.202 to read as follows:
                                                     (a)(1), remove the words ‘‘the Boundary                                                                          (a) Each vessel must have navigation
                                                     Lines’’ and add, in their place, the                    § 28.202 Construction requirement for                  equipment, including compasses,
                                                     words ‘‘3 nautical miles from the
                                                                                                             smaller vessels.                                       nautical charts, and publications.
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                                                     baseline by which the territorial sea of                  Each vessel to which this subpart                    *     *    *      *   *
                                                     the U.S. is measured’’; and                             applies that is less than 50 feet overall
                                                                                                             in length and built after January 1, 2010,             § 28.230   [Amended]
                                                     ■ d. Add new paragraph (b).
                                                        The revision and addition to read as                 must be constructed in a manner that                   ■ 15. In § 28.230, after the word ‘‘Each’’
                                                     follows:                                                provides a level of safety equivalent to               and before the word ‘‘vessel’’, add the
                                                                                                             the recreational vessel regulations in 33              word ‘‘documented’’.
                                                     § 28.200 Applicability; documentation of                CFR part 183.                                          ■ 16. Amend § 28.235 as follows:
                                                     maintenance, training, and drills.                      ■ 11. Amend § 28.205 by adding                         ■ a. Redesignate paragraphs (a) and (b)
                                                     *      *     *       *       *                          introductory text to read as follows:                  as paragraphs (b) and (c), respectively;


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                                                     40468                    Federal Register / Vol. 81, No. 119 / Tuesday, June 21, 2016 / Proposed Rules

                                                     ■ b. Add new paragraph (a);                             communication equipment must be at                     ■ 22. Amend § 28.265 by adding
                                                     ■ c. In newly redesignated paragraph                    the operating station.                                 introductory text to read as follows:
                                                     (b), remove the words ‘‘Each vessel’’ and                 (g) On each documented vessel,
                                                     add, in their place, the words ‘‘Each                   communication equipment must be                        § 28.265   Emergency instructions.
                                                     documented vessel’’; and                                installed to ensure safe operation of the                For any documented vessel to which
                                                     ■ d. In newly redesignated paragraph                    equipment and to facilitate repair. It                 this subpart applies:
                                                     (c), before the word ‘‘nonmetallic’’, add               must be protected against vibration,                   *     *    *      *      *
                                                     the word ‘‘documented’’.                                moisture, temperature, and excessive                   ■ 23. Amend § 28.270 as follows:
                                                        The addition to read as follows:                     currents and voltages. It must be located              ■ a. Add a new introductory paragraph;
                                                                                                             so as to minimize the possibility of                   and
                                                     § 28.235   Anchors and radar reflectors.
                                                                                                             water intrusion from windows broken                    ■ b. Revise the first sentence of
                                                       (a) Each vessel must have ground                      by heavy seas.                                         paragraph (a).
                                                     tackle sufficient for the vessel.                         (h) On each documented vessel,                         The additions and revisions to read as
                                                     *     *     *     *     *                               communication equipment must                           follows:
                                                                                                             comply with the technical standards
                                                     § 28.240   [Amended]                                                                                           § 28.270 Instruction, drills, safety
                                                                                                             and operating requirements issued by
                                                     ■  17. In § 28.240, in paragraph (a), after                                                                    orientation, and training.
                                                                                                             the Federal Communications
                                                     the word ‘‘each’’ and before the word                   Commission, as set forth in 47 CFR part                  The master or individual in charge of
                                                     ‘‘vessel’’, add the word ‘‘documented’’.                80.                                                    any documented vessel to which this
                                                     ■ 18. Amend § 28.245 as follows:                          (i) On each documented vessel, all                   subpart applies must ensure compliance
                                                     ■ a. Revise paragraph (a) introductory                                                                         with this section, but may delegate the
                                                                                                             communication equipment must be
                                                     text;                                                   provided with an emergency source of                   actual conduct of instruction and drills
                                                     ■ b. In paragraphs (a)(1), (a)(2), (a)(3),                                                                     required by paragraphs (a) through (d) of
                                                                                                             power that complies with § 28.375 of
                                                     and (a)(4) after the word ‘‘Each’’ and                  this part.                                             this section to a person who may or may
                                                     before the word ‘‘vessel’’, add the word                                                                       not be a member of the crew.
                                                     ‘‘documented’’; and                                     § 28.250    [Amended]                                    (a) Drills and instruction. Drills must
                                                     ■ c. Revise paragraphs (f), (g), (h), and               ■ 19. In § 28.250, in the introductory                 be conducted and instruction must be
                                                     (i).                                                    text, before the word ‘‘vessel’’, add the              given to each individual onboard at
                                                        The revisions to read as follows:                    word ‘‘documented’’.                                   least once each month. * * *
                                                     § 28.245   Communication equipment.                     ■ 20. Amend § 28.255 by adding                         *     *     *     *    *
                                                                                                             introductory text to read as follows:
                                                       (a) Each vessel must have marine                                                                             § 28.500   [Amended]
                                                     radio communications equipment                          § 28.255 Bilge pumps, bilge piping, and
                                                                                                                                                                    ■ 24. Amend § 28.500 introductory text
                                                     sufficient to effectively communicate                   dewatering systems.
                                                                                                                                                                    by removing the words ‘‘that is not
                                                     with land-based search and rescue                         For any documented vessel to which                   required to be issued a load line under
                                                     facilities; and except as provided in                   this subpart applies:                                  subchapter E of this chapter and’’.
                                                     paragraphs (b) through (e) of this                      *     *    *     *    *
                                                     section, each documented vessel must                                                                             Dated: June 10, 2016.
                                                     be equipped as follows:                                 § 28.260    [Amended]                                  Paul F. Zukunft,
                                                     *      *     *    *     *                               ■ 21. In § 28.260, after the word ‘‘Each’’             Admiral, U.S. Coast Guard Commandant.
                                                       (f) On each documented vessel, the                    and before the word ‘‘vessel’’, add the                [FR Doc. 2016–14399 Filed 6–20–16; 8:45 am]
                                                     principle operating position of the                     word ‘‘documented’’.                                   BILLING CODE 9110–04–P
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Document Created: 2016-06-21 01:30:14
Document Modified: 2016-06-21 01:30:14
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of proposed rulemaking.
DatesComments and related material must be submitted to the online docket via http://www.regulations.gov, or reach the Docket Management Facility, on or before September 19, 2016. Comments sent to the Office of Management and Budget (OMB) on the proposed collection of information must reach OMB on or before September 19, 2016.
ContactFor information about this document call or email Jack Kemerer, Chief, Fishing Vessels Division (CG-CVC-3), Office of Commercial Vessel Compliance (CG-CVC), Coast Guard; telephone 202-372-1249, email [email protected]
FR Citation81 FR 40437 
RIN Number1625-AB85
CFR AssociatedAlaska; Fire Prevention; Fishing Vessels; Incorporation by Reference; Marine Safety; Occupational Safety and Health; Reporting and Recordkeeping Requirements and Seamen

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