81_FR_88054 81 FR 87820 - Ocean Disposal; Designation of a Dredged Material Disposal Site in Eastern Region of Long Island Sound; Connecticut

81 FR 87820 - Ocean Disposal; Designation of a Dredged Material Disposal Site in Eastern Region of Long Island Sound; Connecticut

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 234 (December 6, 2016)

Page Range87820-87843
FR Document2016-27546

With the publication of this Final Rule, the Environmental Protection Agency (EPA) is designating the Eastern Long Island Sound Disposal Site (ELDS), located offshore from New London, Connecticut, for the disposal of dredged material from harbors and navigation channels in eastern Long Island Sound and Little Narragansett Bay in the states of Connecticut, New York, and Rhode Island. This action is necessary to provide a long-term, open-water dredged material disposal site as an alternative for the possible future disposal of such material. This disposal site designation is subject to restrictions designed to support the goal of reducing or eliminating the disposal of dredged material in Long Island Sound. The basis for this action is described herein and in the Final Supplemental Environmental Impact Statement (FSEIS) released by EPA on November 4, 2016 in conjunction with this Final Rule. The FSEIS identifies designation of the ELDS as the preferred alternative from the range of options considered.

Federal Register, Volume 81 Issue 234 (Tuesday, December 6, 2016)
[Federal Register Volume 81, Number 234 (Tuesday, December 6, 2016)]
[Rules and Regulations]
[Pages 87820-87843]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-27546]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 228

[FRL-9955-13-Region 1]


Ocean Disposal; Designation of a Dredged Material Disposal Site 
in Eastern Region of Long Island Sound; Connecticut

AGENCY: Environmental Protection Agency (EPA).

ACTION: Final rule.

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SUMMARY: With the publication of this Final Rule, the Environmental 
Protection Agency (EPA) is designating the Eastern Long Island Sound 
Disposal Site (ELDS), located offshore from New London, Connecticut, 
for the disposal of dredged material from harbors and navigation 
channels in eastern Long Island Sound and Little Narragansett Bay in 
the states of Connecticut, New York, and Rhode Island. This action is 
necessary to provide a long-term, open-water dredged material disposal 
site as an alternative for the possible future disposal of such 
material. This disposal site designation is subject to restrictions 
designed to support the goal of reducing or eliminating the disposal of 
dredged material in Long Island Sound.
    The basis for this action is described herein and in the Final 
Supplemental Environmental Impact Statement

[[Page 87821]]

(FSEIS) released by EPA on November 4, 2016 in conjunction with this 
Final Rule. The FSEIS identifies designation of the ELDS as the 
preferred alternative from the range of options considered.

DATES: This final rule is effective on January 5, 2017.

ADDRESSES: EPA has established a docket for this action under Docket 
Identification No. EPA-R01-OW-2016-0239. All documents in the docket 
are listed on the http://www.regulations.gov Web site. Publically 
available docket materials are also available from EPA's Web site 
https://www.epa.gov/ocean-dumping/dredged-material-management-long-island-sound.

FOR FURTHER INFORMATION CONTACT: Jean Brochi, U.S. Environmental 
Protection Agency, New England Regional Office, 5 Post Office Square, 
Suite 100, Mail Code: OEP06-1, Boston, MA 02109-3912, telephone (617) 
918-1536, electronic mail: [email protected].

SUPPLEMENTARY INFORMATION: Organization of this document. The following 
outline is provided to aid in locating information in this preamble.

I. Final Action
II. Background
III. Purpose
IV. Potentially Affected Entities
V. Disposal Site Description
VI. Summary of Public Comments and EPA's Responses
VII. Changes From the Proposed Rule
VIII. Compliance With Statutory and Regulatory Requirements
    A. Marine Protection, Research, and Sanctuaries Act and Clean 
Water Act
    B. National Environmental Policy Act
    C. Coastal Zone Management Act
    D. Endangered Species Act
    E. Magnuson-Stevens Fishery Conservation and Management Act
IX. Restrictions
X. Supporting Documents
XI. Statutory and Executive Order Reviews

I. Final Action

    EPA is publishing this Final Rule to designate the ELDS to provide 
an environmentally sound, open-water disposal option for possible use 
in managing dredged material from harbors and navigation channels in 
eastern Long Island Sound and its vicinity in the states of 
Connecticut, New York, and Rhode Island. The site designation is 
effective for an indefinite period of time. The use of the site is 
subject to restrictions designed to reduce or eliminate open-water 
disposal of dredged material in Long Island Sound, and to ensure 
protection of the environment if and when the site is used.
    The site designation process has been conducted consistent with the 
requirements of the Marine Protection, Research, and Sanctuaries Act 
(MPRSA), National Environmental Policy Act (NEPA), Coastal Zone 
Management Act (CZMA), and other applicable federal and state statutes 
and regulations. Compliance with these requirements is described in 
detail in Section VIII (``Compliance with Statutory and Regulatory 
Requirements''). The basis for this federal action is further described 
in an FSEIS that identifies EPA designation of the ELDS as the 
preferred alternative. The FSEIS was released on November 4, 2016 on 
the EPA Region 1 Web site: https://www.epa.gov/ocean-dumping/final-supplemental-environmental-impact-statement-eastern-long-island-sound 
and is provided as a supporting document in the docket for this Final 
Rule. See 40 CFR 1506.10. This Final Rule also serves as EPA's Record 
of Decision (ROD) for the NEPA review supporting the designation of 
this site.
    Dredged material disposal sites designated by EPA under the MPRSA 
are subject to detailed management and monitoring protocols to track 
site conditions and prevent the occurrence of unacceptable adverse 
effects. The management and monitoring protocols for the ELDS are 
described in the Site Management and Monitoring Plan (SMMP) that is 
incorporated into the FSEIS as Appendix I. See 33 U.S.C. 1412(c)(3). 
EPA is authorized to close or limit the use of these sites to further 
disposal activity if their use causes unacceptable adverse impacts to 
the marine environment or human health.
    The designation of this disposal site does not constitute or imply 
EPA's approval of open-water disposal of dredged material at the site 
from any specific project. Disposal of dredged material from federal 
projects, or non-federal projects involving more than 25,000 cubic 
yards (cy) of material, will not be allowed at the ELDS until the 
proposed disposal operation first receives, among other things, proper 
authorization from the U.S. Army Corps of Engineers (USACE) under MPRSA 
section 103. (Proposals to dispose of material from non-federal 
projects involving less than 25,000 cy yards of material are subject to 
regulation under Section 404 of the Clean Water Act.) In addition, any 
authorization by the USACE under MPRSA section 103 is subject to EPA 
review under MPRSA section 103(c), and EPA may concur, concur with 
conditions, or decline to concur with the authorization as a result of 
such review. In order to properly obtain authorization to dispose of 
dredged material at the ELDS under the MPRSA, the dredged material 
proposed for disposal must first satisfy the applicable criteria for 
testing and evaluating dredged material specified in EPA regulations at 
40 CFR part 227, and it must be determined in accordance with EPA 
regulations at 40 CFR part 227, subpart C, that there is a need for 
open-water disposal (i.e., that there is no practicable dredged 
material management alternative to open-water disposal with less 
adverse environmental impact). In addition, any proposal to dispose of 
dredged material under the MPRSA at the designated site will need to 
satisfy all the site restrictions included in the Final Rule as part of 
the site designation. See 40 CFR 228.8 and 228.15(b)(6).

II. Background

    On April 27, 2016, EPA published in the Federal Register (81 FR 
24748) a proposed rule (the Proposed Rule) to designate an Eastern Long 
Island Sound Dredged Material Disposal Site (ELDS), located offshore 
from New London, Connecticut. EPA's Proposed Rule also stated that two 
other alternative sites, the Niantic Bay and Cornfield Shoals disposal 
sites and CSDS), met the site selection criteria in the Ocean Dumping 
Regulations and could be designated for long-term use. EPA indicated 
that it was not proposing to designate those two alternative sites but 
requested public comment on the advisability of using those sites.
    On July 7, 2016, EPA published in the Federal Register (81 FR 
44220) a final rule to amend the 2005 rule that designated the Central 
and Western Long Island Sound dredged material disposal sites (CLDS and 
WLDS, respectively). The rule amendments established new restrictions 
on the use of those sites to support the goal of reducing or 
eliminating open-water disposal in Long Island Sound. The restrictions 
include standards and procedures to promote the development and use of 
practicable alternatives to open-water disposal, including 
establishment of an interagency ``Steering Committee'' and ``Regional 
Dredging Team'' that will oversee implementation of the rule. As 
explained in the Proposed Rule for the ELDS, the restrictions 
applicable to the CLDS and WLDS also will be applied to use of the 
ELDS.

III. Purpose

    The purpose of EPA's action is to provide a long-term, 
environmentally acceptable dredged material disposal option for 
potential use by the USACE and other federal, state, county, municipal, 
and private entities that must dredge channels, harbors, marinas,

[[Page 87822]]

and other aquatic areas in eastern Long Island Sound in order to 
maintain conditions for safe navigation for marine commerce and 
recreation, and for military and public safety operations. This action 
is necessary because: (1) Periodic dredging is needed to maintain safe 
navigation and occasionally improve ports and harbors to maintain 
competitiveness and support a changing economy, and open-water dredged 
material disposal is necessary when practicable alternative means of 
managing the material are not available; (2) EPA determined that 
dredged material disposal/handling needs in the eastern region of Long 
Island Sound exceed the available disposal/handling capacity in that 
region; (3) the two currently used disposal sites in this region, the 
New London Disposal Site (NLDS) and CSDS, are only authorized for use 
until December 23, 2016; (4) there are currently no disposal sites 
designated for long-term use in the eastern Long Island Sound region; 
and (5) under the MPRSA, an EPA designation is required for any long-
term open-water dredged material disposal site in Long Island Sound.
    In addition, the closest designated sites outside the eastern Long 
Island Sound region are the Central Long Island Sound Disposal Site 
(CLDS) and the Rhode Island Sound Disposal Site (RISDS), and both are 
too far from dredging centers in the eastern region of the Sound to be 
reasonable alternatives to the proposed site designation. For example, 
the distance from New London Harbor to the CLDS is 34.7 nautical miles 
(nmi) and to the RISDS is 44.5 nmi. The Western Long Island Sound 
Disposal Site (WLDS) is approximately 59 nmi west of New London Harbor, 
making it an even less feasible alternative.
    While the CLDS, WLDS, and RISDS have all been determined to be 
environmentally sound sites for receiving suitable dredged material, 
proposing to use any of them for suitable dredged material from the 
eastern region of Long Island Sound would be problematic, and EPA would 
consider them to be options of last resort. Using the CLDS or RISDS 
would greatly increase the transport distance for, and duration of, 
open-water disposal for dredging projects from the eastern Long Island 
Sound region. This, in turn, would greatly increase the cost of such 
projects and would likely render many dredging projects too expensive 
to conduct. For example, maintenance dredging of the U.S. Navy 
Submarine Base berths planned for 2016-2020 is expected to generate 
about 75,000 cy of suitable material; the estimated cost of disposal at 
the ELDS is $31/cy for a total cost of $2,325,000, while disposal at 
the CLDS is estimated at $64/cy for a total of $4,800,000. An 
improvement (deepening) project to accommodate a larger class of 
submarine planned for 2016-2025 is expected to generate about 350,000 
cy; the estimated cost of disposal at the ELDS is $26/cy for a total 
cost of $9,100,000, while disposal at the CLDS is estimated at $57/cy 
for a total of $19,950,000 (USACE, 2016b). Thus, the longer haul 
distance more than doubles the cost to the public for the federal 
government to dredge the same project.
    Furthermore, the greater transport distances would be 
environmentally detrimental, in that they would entail greater energy 
use, increased air emissions, and increased risk of spills and short 
dumps (FSEIS, Section 2.1). Regarding air emissions, increased hauling 
distances might require using larger scows with more powerful towing 
vessels, which would use more fuel and cause more air pollution. Longer 
haul distances also may increase the amount of time necessary to 
complete a dredging project, resulting in an extended period of 
disruption to the areas being dredged.
    In its Long Island Sound Dredged Material Management Plan (DMMP), 
the USACE projected that dredging in eastern Long Island Sound would 
generate approximately 22.6 million cubic yards (mcy) of dredged 
material over the next 30 years. Of the total amount of 22.6 mcy, 
approximately 13.5 mcy was projected to be fine-grained sediment that 
meets MPRSA and Clean Water Act (CWA) standards for aquatic disposal 
(i.e., ``suitable'' material), and 9.1 mcy was projected to be coarse-
grained sand that also meets MPRSA and CWA standards for aquatic 
disposal (i.e., also ``suitable'' material). In addition, the DMMP 
projected that approximately 80,900 cy of material from eastern Long 
Island Sound would be fine-grained sediment that does not meet MPRSA 
and CWA standards for aquatic disposal (i.e., ``unsuitable'' material).
    In response to comments asserting that no disposal site is needed 
in the eastern region of Long Island Sound, and comments urging that 
the size of any site be reduced or minimized, EPA asked the USACE to 
revisit once more its estimate of disposal capacity needs and to revise 
the figures, if appropriate. Although the values from the DMMP 
reflected substantial analysis and public input, the USACE agreed to 
reassess the capacity needs in coordination with EPA. This reassessment 
has resulted in a projected disposal capacity need of approximately 20 
mcy, which still supports the conclusion that a disposal site is needed 
in the eastern region of the Sound. The reassessment of capacity needs 
is discussed further in Sections V (``Disposal Site Description'') and 
VI (``Summary of Public Comments and EPA's Responses'') of this 
document and in Section 5.8 of the FSEIS.
    The detailed assessment of alternatives to open-water disposal in 
the USACE's DMMP determined that, while the sand generated in this 
region may be able to be used beneficially to nourish beaches, there 
are not practicable alternatives to open-water disposal with sufficient 
capacity to handle the projected volume of fine-grained sediment. As 
described in the Proposed Rule and in Section IX of the Final Rule 
itself, EPA has placed restrictions on the use of all Long Island Sound 
dredged material disposal sites that are designed to facilitate and 
promote the use of practicable alternatives to open-water disposal 
whenever available, but EPA has determined that one designated open-
water disposal site is needed in eastern Long Island Sound.
    Given the need to provide an open-water disposal site as an option 
for dredged material management, EPA designation of a long-term dredged 
material disposal site(s) provides environmental benefits. First, when 
a site being used under the USACE's short-term site selection authority 
is due to expire, designation by EPA is the only way to authorize 
continued use of that site, even if the site is environmentally 
suitable or even environmentally preferable to all other sites. With 
the NLDS and CSDS closing in December 2016, EPA's site designation 
studies were designed to determine whether these or any other sites 
should be designated for continued long-term use. Congress has directed 
that the disposal of dredged material should take place at EPA-
designated sites, rather than USACE-selected sites, when EPA-designated 
sites are available (see MPRSA 103(b)). Consistent with that 
Congressional intent, EPA's policy is that it is generally 
environmentally preferable to concentrate any open-water disposal at 
sites that have been used historically and at fewer sites, rather than 
relying on the selection by the USACE of multiple sites to be used for 
a limited time, see 40 CFR 228.5(e).
    Second, MPRSA criteria for selecting and designating sites require 
EPA to consider previously used disposal sites, with active or 
historically used sites given preference in the evaluation (40 CFR 
228.5(e)). This preference will concentrate the effects, if any, of 
open-

[[Page 87823]]

water disposal of dredged material to discrete areas that have already 
received dredged material, and avoid distributing any effects over a 
larger geographic area. Finally, unlike USACE-selected sites, EPA-
designated sites require a SMMP that will help ensure environmentally 
sound monitoring and management of the sites.
    Designating an environmentally sound open-water disposal site to 
allow for and facilitate necessary dredging in the eastern region of 
Long Island Sound also will yield a number of public benefits. First, 
designating an environmentally sound disposal site will yield economic 
benefits. There are a large number of important navigation-dependent 
businesses and industries in the eastern Long Island Sound region, 
ranging from shipping (especially the movement of petroleum fuels and 
the shipping of bulk materials), to recreational boating-related 
businesses, marine transportation, commercial and recreational fishing, 
interstate ferry operations, ship building, and military and public 
safety operations, such as those associated with the U.S. Naval 
Submarine Base in Groton and the U.S. Coast Guard facilities in New 
London. These businesses and industries contribute substantially to the 
region's economic output, the gross state product (GSP) of the 
bordering states, and tax revenue. Continued access to navigation 
channels, harbors, berths, and mooring areas is vital to ensuring the 
continued economic health of these industries, and to preserving the 
ability of the region to import fuels, bulk supplies, and other 
commodities at competitive prices. Second, preserving navigation 
channels, marinas, harbors, berthing areas, and other marine resources, 
improves the quality of life for residents and visitors to the eastern 
Long Island Sound region by facilitating recreational boating and 
associated activities, such as fishing and sightseeing. Finally, by 
facilitating dredging needed to support U.S. Navy and Coast Guard 
operations, designation of an open-water dredged material disposal site 
also supports national defense planning and operations as well as 
public safety.

IV. Potentially Affected Entities

    Entities potentially affected by this action are persons, 
organizations, or government bodies seeking to dispose of dredged 
material in waters of eastern Long Island Sound, subject to the 
requirements of the MPRSA and/or the CWA and their implementing 
regulations. This rule is expected to be primarily of relevance to: (a) 
Private parties seeking permits from the USACE to transport more than 
25,000 cubic yards of dredged material for the purpose of disposal into 
the waters of eastern Long Island Sound; (b) the USACE for its own 
dredged material disposal projects; and (c) other federal agencies 
seeking to dispose of dredged material in eastern Long Island Sound. 
Potentially affected entities and categories of entities that may seek 
to use the designated dredged material disposal site and would be 
subject to the proposed rule include:

------------------------------------------------------------------------
                                                         Examples of
                     Category                       potentially affected
                                                          entities
------------------------------------------------------------------------
Federal government................................  USACE (Civil Works
                                                     Projects), and
                                                     other federal
                                                     agencies.
State, local, and tribal governments..............  Governments owning
                                                     and/or responsible
                                                     for ports, harbors,
                                                     and/or berths,
                                                     government agencies
                                                     requiring disposal
                                                     of dredged material
                                                     associated with
                                                     public works
                                                     projects.
Industry and general public.......................  Port authorities,
                                                     shipyards and
                                                     marine repair
                                                     facilities, marinas
                                                     and boatyards, and
                                                     berth owners.
------------------------------------------------------------------------

    This table is not intended to be comprehensive, but rather provides 
a guide for readers regarding the types of entities that could 
potentially be affected by this Final Rule. EPA notes that nothing in 
this rule alters the jurisdiction or authority of EPA, the USACE, or 
the types of entities regulated under the MPRSA and/or CWA. Questions 
regarding the applicability of this Final Rule to a particular entity 
should be directed to the contact person listed in the preceding FOR 
FURTHER INFORMATION CONTACT section.

V. Disposal Site Description

    This rule designates the ELDS, but with site boundaries modified 
from those in the Proposed Rule, for open-water disposal of dredged 
material for several reasons. First, the entire ELDS is a containment 
site, which will protect the environment by retaining the dredged 
material within the site and, accordingly, will also support effective 
site management and monitoring. Second, the NLDS, which is immediately 
to the east of the ELDS, has been used for dredged material disposal 
for over 60 years, and monitoring of the NLDS over the past 35 years 
has determined that past and present management practices have been 
successful in minimizing short-term, long-term, and cumulative impacts 
to water quality and benthic habitat in this vicinity. EPA has 
determined that the ELDS also can be successfully managed. Third, 
designating the ELDS, which is immediately adjacent to the NLDS, would 
be consistent with USEPA's ocean disposal regulations, which indicate a 
preference for designating disposal sites in areas that have been used 
in the past, rather than new, relatively undisturbed areas (40 CFR 
228.5(e)).
    Finally, in response to public comments, which are described 
further in Section VI (``Summary of Public Comments and EPA's 
Responses''), EPA is designating an ELDS that has been relocated 
farther to the west and is smaller in size than the preferred 
alternative described in the Proposed Rule. Thus, the boundaries of the 
ELDS have been redrawn for this Final Rule. For the Proposed Rule, EPA 
proposed an ELDS with an estimated capacity of 27 mcy based on an 
estimated need for disposal capacity of approximately 22.6 mcy for 
material from the eastern region of the Sound, which in turn was based 
on the dredging needs assessment from the DMMP. See 81 FR 24750. EPA 
received comments stating that there was no need for a disposal site to 
be designated in the eastern region of Long Island Sound. As part of 
its consideration of, and response to, these comments, EPA requested 
the USACE prepare a more refined estimate of the dredged material 
disposal capacity needed for sediments projected to be dredged from the 
eastern region of the Sound. The USACE undertook this analysis and 
projected that a disposal capacity of approximately 20 mcy (based on 
water volume below a depth of 59 feet [18 meters] and slope 
calculations, with a buffer zone) would likely be sufficient. This 
estimate reflects a variety of factors, some of which involve an 
unavoidable degree of uncertainty. These factors include the following: 
Specific dredging projects currently projected within the region 
(including possible ``improvement projects'' to further deepen channels 
or berthing areas); how much of each type of material (e.g., sand, 
suitable and unsuitable fine-grained material) is estimated to be 
generated by each project; how much of this material is estimated to 
require open-water disposal; the possibility of increased

[[Page 87824]]

dredging needs caused by larger-than-normal storms; and a ``bulking 
factor'' of approximately 10 percent. More specifically, the revised 
projected disposal capacity need of approximately 20 mcy is based on 
the need to accommodate approximately 12.5 mcy of suitable fine-grained 
sediment; 2.8 mcy from potential improvement (deepening) dredging 
projects; 1.8 mcy of shoal material resulting from extreme storm 
events; 1.1 mcy of sand (recognizing that beach nourishment may not be 
a practicable alternative for all 9.1 mcy of the projected sand); and 
160,000 cy for the excavation of Confined Aquatic Disposal cells (for 
material unsuitable for open-water disposal); for a total of 18,364,500 
cy; and a bulking factor of approximately 10 percent of the total, 
which brings the total to about 20 mcy. The ``bulking factor'' assumes 
that dredged material placed at a disposal site is relatively 
unconsolidated and, thus, will require more capacity when it is placed 
at a disposal site than it occupied when in it was in a consolidated 
state on the seafloor prior to dredging. EPA discussed this disposal 
capacity needs analysis with the USACE before, during, and after its 
development, and EPA has also independently assessed it. Based on all 
of this, EPA regards the disposal capacity needs analysis to be 
reasonable, especially in light of the unavoidable uncertainty 
associated with some of its elements.
    EPA also received comments opposing designation of the ELDS but 
expressing a willingness to accept the NBDS site, lying farther in 
Connecticut waters. EPA regards these comments to be at least 
suggestive of a desire to move the site farther from New York waters, 
while recognizing that such comments do not necessarily indicate an 
acceptance of an ELDS relocated to lie exclusively in Connecticut 
waters. In addition, EPA received comments supporting the ELDS but 
urging that its eastern boundary be pushed westward farther away from 
the submarine transit corridor in that area of the Sound. Finally, EPA 
received several comments opposing designation of the NBDS due to its 
proximity to the Millstone Power Plant.
    Taking all of these comments and the above dredged material 
disposal capacity needs analysis into account, EPA has redrawn the 
boundaries of the ELDS. The site has been moved to the west so that it 
avoids the submarine transit corridor. The entire site now also lies in 
Connecticut waters approximately 0.2 nm from New York waters. In 
addition, the northern and southern site boundaries were modified to 
avoid two areas of rocky outcroppings that might provide habitat for 
fish and other marine life that are attracted to ``structure'' on the 
seafloor. EPA has determined that the reconfigured ELDS would provide 
approximately 20 mcy of disposal capacity, which will meet the disposal 
capacity need estimated by the USACE.
    The following site description is based on information in section 
3.4.3 of the FSEIS and other support documents. Specifically, Figure 
5.6 in the FSEIS show the location of the site and Table 5-11 provides 
coordinates for the site boundaries.
    The ELDS, as described in the Proposed Rule, comprised 
approximately the western half of the existing NLDS, along with Sites 
NL-Wa and NL-Wb, which are adjacent areas immediately to the west of 
the NLDS. The ELDS now being designated excludes the NLDS entirely and 
encompasses most of former Site NL-Wa (excluding the northern bedrock 
area) and former Site NL-Wb (excluding the southern bedrock area) (see 
FSEIS, Figure 5.6). The ELDS combines these two areas, forming an 
irregularly-shaped polygon that is 1 x 1.5 nmi, but that excludes the 
two previously described bedrock areas for a total area of 
approximately 1.3 square nautical miles (nmi\2\).
    Water depths in the ELDS range from approximately 59 feet (18 m) in 
the north to 100 feet (30 m) in the south. The seafloor at the site 
consists of mostly flat, sandy areas, sloping gradually from north to 
south. However, there is an area of boulders and bedrock in the 
northern part of former Site NL-Wa that has been excluded from the 
reconfigured site boundaries due to its potential value as fisheries 
habitat. This boulder area may be a lag deposit of a glacial moraine. 
The water depth in parts of the boulder area is shallower than 59 feet 
(18 m). The southwestern corner of former Site NL-Wb also contains an 
area of bedrock and boulders, which is an extension of a larger area 
with a similar substrate further to the south. The reconfigured site 
boundaries also exclude this area of potentially high value fisheries 
habitat.
    The distance from the ELDS to the closest points of land and the 
state border are as follows: From the northern boundary to the 
Connecticut shoreline (specifically, Harkness Memorial State Park in 
Waterford, Connecticut, is 1.1 nmi; from the southeastern corner to 
Fishers Island, New York, is 2.3 nmi; and from the southeastern corner 
to the Connecticut/New York state border is .19 nmi).

VI. Summary of Public Comments and EPA's Responses

    EPA received numerous comments on its proposed site designation as 
described in the DSEIS and Proposed Rule from federal and state elected 
officials in Connecticut, New York, and Rhode Island; the USACE; the 
U.S. Navy; the states of Connecticut and New York; a number of 
municipalities; environmental groups; harbor and marine trade groups; 
and many private citizens. EPA received comments both in support of and 
in opposition to its proposed action, with some offering suggested 
improvements. Documents containing copies of all of the public comments 
received by EPA and EPA's response to each of the comments have been 
placed in the public docket and on the Web site identified in the 
ADDRESSES section of this document. There was significant overlap among 
the comments received. Below, EPA summarizes the main points of the 
commenters and the Agency's responses.
    Comment #1. EPA received many comments in support of the 
designation of ELDS from members of the Connecticut and Rhode Island 
Congressional delegations (including a separate submission from 
Congressman Joseph Courtney), the U.S. Navy, the Connecticut Department 
of Energy and Environmental Protection, the Connecticut Port Authority, 
the Connecticut Harbor Management Association, marina and boatyard 
operators, several local government officials, and private citizens. 
While many of these comments were of a general nature, some of the 
commenters also provided additional, specific comments related to the 
proposed action which are addressed in more detail farther below in 
this section.
    Response #1. EPA acknowledges the support provided for the Proposed 
Rule to designate the ELDS.
    Comment #2. EPA also received a number of nearly identical comments 
stating opposition to the DSEIS and the Proposed Rule to designate the 
ELDS, and dredged material disposal in Long Island Sound in general. 
These included comments from Congressman Lee Zeldin, Suffolk County 
Legislators Sarah Anker and Al Krupski, the Citizens Campaign for the 
Environment, the Fishers Island Conservancy, the Group for the East 
End, the East End Sailing Association, several local government 
officials, and private citizens.
    Some of these commenters found the DMMP to be inadequate, 
criticized the DMMP's use of the Federal Standard in evaluating 
alternatives, criticized what they see as a lack of progress toward

[[Page 87825]]

reducing or eliminating dredged material disposal in Long Island Sound 
(and, conversely, a lack of progress in increasing beneficial use), and 
opposed the preferred alternative of designating the ELDS as a dredged 
material disposal site. Some of the commenters also provided 
additional, specific comments, which are addressed in more detail 
elsewhere in this section.
    Response #2. EPA acknowledges, but disagrees with, the opposition 
to the designation of the ELDS, and to the open-water disposal of 
dredged material in Long Island Sound in general, expressed by these 
commenters. At the same time, as discussed further in response to other 
comments in this section, EPA concludes that some amount of open-water 
disposal of dredged material into Long Island Sound will be necessary 
in the future because: (1) Dredging is essential to allow for safe 
navigation for recreational, commercial and military and public safety 
vessels in Long Island Sound, and (2) practicable alternatives to open-
water disposal are unlikely to be sufficient to accommodate the amount 
of material projected to be dredged from the eastern region of Long 
Island Sound over the 30-year planning horizon. Furthermore, the ELDS 
is an environmentally appropriate disposal site and restrictions on the 
type of material that can be placed at the ELDS, coupled with 
regulatory requirements to use available practicable alternatives to 
open-water disposal, should ensure that any use of the disposal site is 
minimized and does not harm the environment. The Final Rule includes 
the same site use restrictions that were promulgated for the CLDS and 
WLDS and are designed to reduce or eliminate the disposal of dredged 
material into the waters of Long Island Sound.
    In response to concerns regarding the adequacy of the DMMP, EPA 
believes the DMMP provides useful information to help the agencies 
achieve the goal of reducing or eliminating the open-water disposal of 
dredged material in the Sound. To help realize this goal, the DMMP 
recommends standards and procedures for the agencies to use in the 
review of dredged material management proposals. In addition, the DMMP 
identifies and discusses a range of specific alternatives to open-water 
disposal for each of the 52 Federal Navigation Projects (FNPs) in Long 
Island Sound. The choice of which alternative (or alternatives) should 
be implemented for a specific dredging project will be made in the 
future based on the facts, law and policy that exist at the time of the 
decision. EPA has provided a more detailed discussion regarding the 
Federal Standard in the preamble to the final rule for the Central and 
Western Disposal Sites (81 FR 44220) and in the complete Response to 
Comments document placed in the public docket and on the Web site 
identified in the ADDRESSES section of this document.
    Comment #3. Commenters provided a range of opinions on the need for 
a disposal site in Eastern Long Island Sound. Some commenters noted 
that dredging is necessary to ensure recreational boating and 
commercial shipping access to the waters of Long Island Sound. They 
point out that marinas, boatyards, and boat clubs provide the main 
access for the public to get out onto the Sound and these facilities 
must dredge periodically to maintain sufficient depth for safe berthing 
and navigation. In addition, they comment that dredging is vital to 
ensure the continued existence of commercial and recreational 
industries that generate billions of dollars of economic activity and 
support thousands of jobs around the Sound. They also note that 
dredging is important to support the function of national interest 
facilities, such as the Naval Submarine Base New London and U.S. Coast 
Guard facilities. These commenters conclude that the ELDS site, as 
proposed, will meet the dredging needs for the region over the next 30 
years and, therefore, there is no need to designate additional sites 
(such as the CSDS or NBDS).
    Other commenters conclude that the dredging needs in the DMMP are 
vastly overstated, and that there is no need for a disposal site in 
eastern Long Island Sound. In comments provided by the New York State 
Department of State (NYSDOS) and New York State Department of 
Environmental Conservation (NYSDEC), the departments noted that they 
did not think it was necessary to designate a site in the eastern 
region of Long Island Sound, but they also recognized the importance of 
providing stakeholders with a range of options for management of 
dredged material and recommended EPA designate the NBDS alternative and 
the NLDS as a ``remediation site.'' EPA received a letter from New York 
Governor Andrew Cuomo after the end of the comment period expressing 
opposition to any disposal site designation in eastern Long Island 
Sound. The Governor's comments further state that the EPA and USACE are 
incorrectly seeking to justify an eastern site based on the assertion 
that there is inadequate capacity at the CLDS, WLDS, and Rhode Island 
Sound Disposal Site (RISDS). (Additional points in the Governor's 
letter are addressed at Comment and Response #4 below.)
    Response #3. EPA agrees that dredging is necessary to provide for 
safe navigation in and around Long Island Sound and acknowledges that 
the marine trade industry is an important contributor to the economies 
of both Connecticut and New York. EPA also agrees that dredging is 
necessary to provide recreational boating access to Long Island Sound. 
Recreational boating, and associated activities such as fishing and 
sightseeing, are important public uses of the Sound that improve the 
quality of life for residents and visitors alike, while also 
contributing to the local economy. EPA also notes that by helping to 
provide for safe navigation, not only does environmentally-sound 
dredging and dredged material management benefit commercial and 
recreational uses of Long Island Sound, but it also contributes to 
national security and public safety by facilitating navigation for U.S. 
Navy, U.S. Coast Guard, and other types of military and public safety 
vessels.
    EPA disagrees with the suggestion in the letter from NYSDOS and 
NYSDEC and the Governor's letter that an eastern Long Island Sound 
disposal site is not needed because there is sufficient capacity at 
other already designated sites outside of the eastern Sound, such as 
the CLDS, WLDS, and RISDS. The USACE projected in the DMMP that 
dredging in Long Island Sound would generate approximately 52.9 mcy of 
material over the 30-year planning horizon, with approximately 30.3 mcy 
coming from the western and central regions, and 22.6 mcy from the 
eastern region. Of the 52.9 mcy, approximately 3.3 mcy of material are 
projected to be unsuitable for open-water disposal, see 81 FR 24750, 
leaving approximately 49.6 mcy of material that could potentially be 
placed at an open-water disposal site, if necessary. Of this 49.6 mcy, 
15.2 mcy are projected to be sand that could potentially be used for 
beneficial uses, such as beach nourishment, while 34.4 is projected to 
be fine-grained material suitable for open-water disposal. Obviously, 
it is likely that beneficial uses, or some other upland management 
option, will be found for some amount of the sand, and even some amount 
of the fine-grained materials, but there is no guarantee of this and it 
is impossible to be sure in advance what these amounts will be.
    As noted in the DSEIS, the CLDS and WLDS are each estimated to have 
a disposal capacity of about 20 mcy. This 40 mcy of capacity is not 
enough to take

[[Page 87826]]

the full 49.6 mcy of material that could require open-water disposal. 
The RISDS was designated in 2005 to serve the dredging needs of the 
Rhode Island and southeastern Massachusetts region.
    Furthermore, the predicted amounts of material to be managed are 
unavoidably imperfect estimates. The actual amounts of material to be 
managed could be higher (or lower) over the 30-year planning horizon, 
especially when unpredictable events such as large storms and possible 
improvement dredging needs are considered. Therefore, EPA deems it 
reasonable to take a conservative approach and designate sites to 
ensure adequate disposal capacity is available for all the projected 
material, recognizing that all the capacity might not end up being 
needed. Indeed, as per the site use restrictions, EPA will be working 
with others to try to find beneficial use options for dredged material 
to minimize how much disposal capacity is needed.
    Beyond the issue of having enough disposal capacity, EPA also 
determined that the CLDS, WLDS, and RISDS would not reasonably serve 
the needs of the eastern Long Island Sound region once the 
environmental effects, cost, environmental and safety risks, and 
logistical difficulties of using such distant sites were taken into 
account. Thus, part of the basis of EPA's determination that a 
designated site is needed in eastern Long Island Sound is the longer 
transit distances from dredging centers in the region to the CLDS, 
WLDS, and RISDS. These longer trips would result in greater energy use, 
increased air emissions, increased risk of spills, more difficult 
project logistics, and greater cost.
    As part of its consideration of, and response to, comments 
asserting that no disposal site is needed in the eastern region of Long 
Island Sound, and comments urging that the size of any site be reduced 
or minimized, EPA asked the USACE to revisit once more its estimate of 
disposal capacity needs and prepare a more refined estimate of the 
dredged material disposal capacity needed for sediments projected to be 
dredged from the eastern region of the Sound. Although the values from 
the DMMP reflected substantial analysis and public input, the USACE 
agreed to reassess the capacity needs in coordination with EPA. The 
USACE undertook this analysis and projected that a disposal capacity of 
approximately 20 mcy would likely be sufficient to meet disposal needs 
over the next 30 years.
    Comment #4. EPA received a letter from New York Governor Andrew 
Cuomo (and undersigned by 32 federal and state elected officials) after 
the end of the comment period (dated August 4, 2016). The Governor's 
letter expresses opposition to any disposal site being designated in 
the eastern region of Long Island Sound and indicates his intent to 
legally challenge any EPA rule designating a disposal site in eastern 
Long Island Sound and seek to prevent any disposal pursuant to any such 
rule. The Governor states that this stance is consistent with the State 
of New York's decades-long opposition to ``the unabated dumping of 
dredged materials in Long Island Sound.'' The letter also states that 
the designation of a site in eastern Long Island Sound is not necessary 
and may further impede progress toward reducing or eliminating open 
water disposal, a fundamental component of the rule. In addition, the 
letter indicates that the State of New York opposes the site 
designation based on comments provided by NYSDOS and NYSDEC in a joint 
letter. The letter further states that the EPA and USACE are 
incorrectly seeking to justify an eastern site based on the assertion 
that there is inadequate capacity at the WLDS, WLDS, and RISDS.
    Response #4. EPA is not legally obligated to consider and respond 
to the Governor's comment letter in this rulemaking process and 
environmental review under NEPA because the letter was submitted after 
the close of the comment period. Nevertheless, EPA has reviewed and 
given careful consideration to the views presented by Governor Cuomo 
and provides a response here.
    EPA disagrees with the stance presented by the Governor's letter. 
Without waiting to read EPA's final analysis of whether an appropriate 
site can be identified, and whether there is a need for such a site to 
provide a dredged material disposal option to ensure that dredging 
needed to ensure safe navigation and suitable berthing areas for 
recreational, commercial, public safety and military vessels, the 
Governor expresses a plan to sue over any rule designating a site in 
the eastern region of Long Island Sound.
    While the Governor's letter suggests that New York ``has for 
decades opposed'' dredged material disposal in Long Island Sound, the 
reality is more nuanced. Over the years, as with the Connecticut shore 
of the Sound, harbors and marinas on the New York shore of Long Island 
Sound have been dredged and in some cases the sediments have been 
placed at disposal sites in Long Island Sound, without objection from 
New York (e.g., Mamaroneck Harbor). At other times, NY has not objected 
as long as materials were not placed at the NLDS near to Fisher's 
Island, NY, and were instead placed at the CLDS, just south of New 
Haven, Connecticut. At other times, when practicable alternatives were 
available, material dredged from New York waters has been managed at 
upland sites. The same is true for material dredged from Connecticut 
waters (i.e., that some material has been placed at open-water disposal 
sites, while other material has been managed at upland sites). 
Furthermore, in still other cases, the dredged material from particular 
projects has been analyzed and found to be unsuitable for open-water 
disposal and such material has been managed using methods other than 
open-water disposal (e.g., placement in a confined aquatic disposal 
[CAD] cell or confined disposal facility [CDF]). Thus, some suitable 
material from New York has been placed at open-water disposal sites, 
while some has been managed at upland locations (e.g., for beach 
nourishment) and unsuitable material has been managed without open-
water disposal. EPA supports this type of overall approach (i.e., 
choosing a management method appropriate to the facts of each 
individual case from a menu of environmentally sound methods).
    Consistent with this more nuanced history, EPA believes these 
issues should be addressed based on their technical, factual, legal, 
and policy merits, rather than taking an across-the-board position for 
or against dredged material disposal in the waters of the Sound. EPA 
has found that the DMMP and the USACE's more recent updated dredged 
material disposal capacity needs analysis clearly establish a need for 
a dredged material disposal site to be designated in the eastern region 
of the Sound. EPA's analysis, in turn, establishes that the ELDS is an 
appropriate site for designation. This designation will provide an 
option for potential use for suitable material when practicable 
alternatives to open-water disposal are not available. Going forward, 
application of EPA's sediment quality criteria will ensure that only 
environmentally suitable dredged material can be approved for open-
water disposal. Moreover, EPA's existing ocean dumping criteria 
concerning whether there is a need for open-water disposal, see 40 CFR 
227.15 and 227.16, coupled with the new site use restrictions 
applicable to the WLDS, CLDS, and ELDS, see 40 CFR 228.15(b)(4)-(6), 
will ensure that the open-water disposal option is used only when the 
material is found to be

[[Page 87827]]

suitable and no practicable alternatives to open-water disposal are 
available.
    EPA cannot and should not base a decision not to designate an 
environmentally appropriate disposal site on as of yet unidentified 
upland management options that might or might not materialize in the 
future for all the dredged material that needs to be managed. Such an 
approach would pose an irresponsible threat to safe navigation and the 
related recreational, commercial, public safety, and national defense 
activities that depend on it. If, upon EPA designation of the ELDS, 
there is no actual need for the site (i.e., practicable alternatives 
are available for every dredging project), then dredged material will 
not be placed there, as the practicable alternatives will be used 
instead.
    Contrary to the views in Governor Cuomo's letter, the joint comment 
letter from the NYSDOS and NYSDEC expressed recognition of both the 
need for dredging to support water-dependent activities and navigation 
infrastructure and ``the importance of providing stakeholders with a 
range of options for management of dredged material in LIS . . . .'' 
Also contrary to the views expressed in the Governor's letter, the 
NYSDOS/NYSDEC letter emphasizes the State of New York's commitment to 
``working with all partners to secure a path forward for achievable, 
measurable reductions in open water disposal over time . . . ,'' and 
noted that the state had demonstrated this commitment by NYSDOS's 
recent concurrence with EPA's amended Final Rule designating the CLDS 
and WLDS, ``which includes updated policies and procedures intended to 
meet this goal, and is subject to the additional restrictions agreed to 
by all Agencies involved.'' The state agencies' letter further pointed 
out that the ``[t]he proposed rule for eastern LIS contains the same 
restrictions as those contained within the Final Rule for CLDS and 
WLDS, with the same ultimate goal of the reduction in open water 
disposal over time.'' EPA agrees with NYSDOS and NYSDEC that the site 
use restrictions for the CLDS, WLDS, and ELDS are well designed to 
pursue and achieve the shared long-term goal of reducing or eliminating 
the open-water disposal of dredged material in Long Island Sound. At 
the same time, these restrictions do not obviate the need to designate 
an appropriate open-water disposal site in the eastern region of the 
Sound to provide an environmentally sound disposal option for material 
that cannot be managed in some other way. While the Governor states 
opposition and an intent to sue over any site being designated in the 
eastern region of the Sound, the NYSDOS/NYSDEC letter instead supports 
designating both the NBDS and the NLDS (as a ``remediation site'') to 
provide disposal options in the eastern Sound. EPA agrees that a 
disposal site should be designated in the eastern Sound, but concludes 
that designating the reconstituted ELDS is preferable to designating 
the NBDS and NLDS.
    With regard to the Governor's concerns about the capacity at the 
CLDS, WLDS, and RISDS, see Response #3 above.
    Comment #5. Among those supporting the designation of ELDS, a 
number of commenters suggested revisions to the boundaries of the site 
for a variety of reasons. Some suggested modifying the northern 
boundary to avoid burial of rocky, hard-bottom areas that may provide 
relatively higher quality fish habitat, while others suggested moving 
the eastern boundary of the proposed ELDS to remove any portion of the 
site from the submarine transit corridor into the Thames River. 
Comments from NYSDOS and NYSDEC recommend buffer zones be established 
around bedrock and archeological areas and included in the Site 
Management and Monitoring Plan (SMMP) for the ELDS.
    Response #5. EPA agrees with the comments to modify the disposal 
site boundaries to avoid the bedrock and boulder areas and the 
submarine transit corridor. As discussed in detail above in Section V, 
EPA is designating the ELDS site with modifications to the boundaries. 
EPA has redrawn the boundaries of the ELDS to exclude both the rocky, 
hard-bottom area in the north central portion of the site, and another 
smaller rocky area in the southwestern corner of the site. Disposal in 
the ELDS near those areas will be carefully managed, including 
establishing a 100-meter buffer, to avoid any adverse impacts to these 
important habitat features. EPA also has shifted the eastern boundary 
of the ELDS to the west to remove it entirely from the submarine 
transit corridor. The eastern boundary of the ELDS site is now .367 nmi 
west of the corridor. This shift of the site also has moved it entirely 
out of New York waters.
    Comment #6. USACE provided comments supporting designation of the 
Cornfield Shoals Disposal Site (CSDS). The USACE would like a cost-
effective open-water alternative for the Connecticut River dredging 
center, and it states that the availability of the CSDS would help 
extend the useful life of the CLDS and ELDS by reducing reliance on 
those sites for placement of materials suitable for CSDS. Another 
commenter recommends designation of the CSDS to continue its role as a 
dispersal site for clean, sandy material in order to ``take some 
pressure off'' while supporting the designation of NBDS, both in lieu 
of ELDS. NYSDOS and NYSDEC opposed designation of CSDS because of the 
dispersive nature of the site.
    EPA received a joint letter from NYSDOS and NYSDEC that commented 
that there isn't really a need for a site in eastern Long Island Sound 
based on historic disposal amounts and capacity at other existing sites 
like the CLDS, but recognized that some stakeholders in the region need 
one, so they recommend designation of the NBDS. They further 
recommended designation of the NLDS as a ``remediation site.'' EPA 
received comments from others expressing concern that designation of 
the NBDS would contribute to cumulative impacts to Niantic Bay, which 
is already stressed by the thermal discharge from the Millstone Nuclear 
Power Station. CTDEEP, while expressing support for ELDS, also 
indicated that NBDS, in combination with ELDS, is a viable option if 
adequate management practices are in place at the site to ensure 
containment of dredged materials. Another commenter reluctantly 
supported designating NBDS as the lesser of evils, while still other 
commenters opposed designation of the NLDS and wanted that site closed. 
EPA also received comments stating it should have given more 
consideration to designating a site outside Long Island Sound, 
including in deep open-ocean waters off Rhode Island and off the 
continental shelf.
    Response #6. While EPA did determine for the Proposed Rule that the 
CSDS meets the site selection criteria and could be designated in 
combination with one of the other alternatives, and did seek comments 
on that position, EPA ultimately decided not to designate the CSDS. EPA 
agrees that the site is dispersive and lies within a high energy area, 
which makes the site difficult to manage and monitor. Further, use of 
this site would need to be limited to receiving material such as sand, 
which EPA feels can and should typically be used for beneficial uses, 
instead, such as beach nourishment. Finally, EPA has concluded that 
designating a single site is preferable to designating multiple sites 
because dredged material placement would be concentrated in one area 
and site management and monitoring demands would be reduced. EPA also 
has concluded that the ELDS will provide an adequate open-water 
disposal option by itself, while the CSDS would be insufficient by 
itself

[[Page 87828]]

because of the restrictions for site use that EPA would place on it.
    Regarding the request to designate the NBDS, based on the dredging 
needs assessment conducted by the USACE for the DMMP, and the 
subsequent, more refined dredged material disposal capacity needs 
analysis by the USACE, EPA is confident that the ELDS is sufficient by 
itself to meet all the open-water disposal needs of the eastern Long 
Island Sound region and EPA prefers to designate a single site to serve 
the region. Therefore, there is no need to designate the NBDS, too. 
Moreover, designating a second site would entail additional monitoring 
and management work and expense that can be avoided. Finally, had EPA 
decided to designate the NBDS, it would only have designated the 
containment portion of the site to ensure containment of the dredged 
material, which does not provide enough capacity to meet the projected 
need. The question of whether designating the NBDS would cause adverse 
cumulative impacts on the ecology of Niantic Bay when viewed together 
with effects of the Millstone Nuclear Power Station thermal discharge 
is now moot because EPA is not designating the NBDS. With regard to 
consideration of sites outside of Long Island Sound, as discussed in 
Chapters 3, 4, and 5 in the DSEIS and in the Proposed Rule, EPA 
considered a wide range of alternatives, including sites in Block 
Island Sound and on the continental shelf, before deciding to propose 
designation of the ELDS. The sites in Block Island Sound had a 
combination of significant marine habitats and strong tidal currents, 
and were relatively small or were located at a comparatively long 
distance from the dredging centers in the region. EPA's evaluation also 
determined that the long distances and travel times between the 
dredging locations in eastern Long Island Sound and the continental 
shelf posed significant environmental, operational, safety, and 
financial concerns, rendering such options unreasonable.
    Finally, with regard to the suggestion that the NLDS be designated 
as a ``remediation site,'' EPA disagrees. Long-term monitoring of the 
disposal mounds at the NLDS, and surveys conducted in 2013 at all the 
alternative sites, indicate a healthy and diverse benthic community and 
no evidence of levels of contamination that would require some sort of 
``remediation,'' even if it could be determined what type of 
remediation would be appropriate for a site in relatively deep water. 
The ecological parameters and phyla data indicate that, overall, the 
NLDS has relatively good species diversity and is not dominated by just 
a few species. These data were consistent with observations at off-site 
locations outside of the NLDS, although the species richness was 
slightly lower at the off-site stations (FSEIS Section 4.9.3 and Table 
4-11). Toxicity testing conducted in 2013 indicated no potential 
toxicity at the NLDS or other alternative sites (FSEIS Section 4.6.3 
and (Table 4-9). Finally, the majority of the NLDS is already near 
capacity, with much of the site already at depths that would prevent 
further placement of dredged material. EPA is not designating the NLDS 
and that site will close by operation of law on December 23, 2016.
    Comment #7. NYSDOS and NYDDEC opined that there were deficiencies 
in the DSEIS, such as an inadequate alternatives analysis, the absence 
of comprehensive biological monitoring, and an inadequate cumulative 
impact assessment. They also suggested that comments they had provided 
earlier on draft sections of the DSEIS regarding physical oceanography 
and biological studies were not reflected in the final reports. They 
also expressed concern about the lack of information about the 
effectiveness of capping plans at the NLDS.
    Response #7. EPA finds the alternatives analysis, biological 
monitoring, and cumulative impact assessment were all more than 
adequate. The alternatives analysis included active and historic sites, 
as well as some other potential sites that had never been used before 
in eastern Long Island Sound, Block Island Sound, and off the 
continental shelf south of Long Island. EPA also considered use of the 
CLDS, WLDS, and/or the RISDS to serve the eastern region of the Sound. 
In addition, and as informed by the USACE's DMMP, EPA considered 
beneficial use options and other non-open-water options such as 
confined disposal cells (CDFs) or facilities (CDFs).
    EPA's cumulative impact assessment is based on over 40 years of 
monitoring data on chemistry, toxicity, bioaccumulation, benthic 
health, and bathymetry to assess physical and biological changes at the 
NLDS and CSDS sites. It also was based on an evaluation of the 
potential effects of designating the ELDS, NBDS, CSDS, or other site 
alternatives. Given that EPA has not found significant adverse effects 
from past disposal at the NLDS or CSDS, and does not anticipate 
significant adverse effects from the future placement of suitable 
material at the ELDS, it is not surprising that EPA did not find 
significant adverse cumulative impacts from the proposed action. EPA 
also considered issues such as the cumulative effect on bottom depths 
that would result from future disposal at the proposed disposal sites.
    EPA and the USACE will continue to manage and monitor all Long 
Island Sound disposal sites and will request input from the state 
agencies if there is evidence of any adverse impacts. If necessary, EPA 
and the USACE will modify the SMMPs for any site at which impacts have 
been identified, and would do so in consultation the states of New York 
and Connecticut and other interested parties, as appropriate.
    With respect to addressing comments received on various draft 
reports and documents during the development of the DSEIS, EPA did take 
all comments into consideration and in some cases modified those 
documents accordingly. In other cases, EPA may have decided that 
modifications were not warranted based on the comments submitted. EPA 
solicited input throughout the development of the DSEIS through a 
``cooperating agency workgroup,'' of which NYSDOS and NYSDEC were 
regular participants, and from the public through an extensive public 
involvement program. Agency and public input received during the three-
and-a-half-year process was reflected in the DSEIS text or in the 
appendices or both. Regarding the idea of ``capping'' disposal mounds 
at the NLDS with new, clean dredged material, as discussed in Response 
#7 above, EPA does not see any reason to pursue this approach. 
Extensive long-term monitoring of the NLDS and surveys conducted in 
2013 for the DSEIS have documented a healthy benthic community at the 
site, with no toxicity in the sediment.
    Comment #8. Some of the commenters who support the Proposed Rule 
believe that the site use restrictions accompanying the site 
designation that establish, among other things, standards and 
procedures for identifying and utilizing alternatives to open-water 
disposal, will help achieve the goal of reducing or eliminating open-
water disposal of dredged material wherever practicable. These 
commenters support the goal of reducing open-water placement of dredged 
material in the waters of Long Island Sound, but believe that it is not 
feasible or practicable at this time to handle all dredged material at 
upland locations or at already designated dredged material disposal 
sites. Some of those opposing the designation recommended upland 
placement and beneficial use of dredged material, rather than disposing 
of it at open-water sites. One commenter suggested ``warehousing'' 
material for future use in response to sea level rise,

[[Page 87829]]

another suggested consideration of on-barge dewatering as a tool to 
facilitate upland placement of dredged materials, and another commenter 
suggested the alternative of the creation of islands near their 
sources.
    Joint comments from NYSDOS and NYSDEC expressed commitment to 
``working with all partners to secure a path forward for achievable, 
measurable reductions in open water disposal over time . . . ,'' and 
noted that the state had demonstrated this commitment by NYSDOS's 
recent concurrence with EPA's amended Final Rule designating the 
Central and Western Long Island Sound Disposal Sites, ``which includes 
updated policies and procedures intended to help meet this goal, and is 
subject to the additional restrictions agreed to by all Agencies 
involved.'' The state departments' letter further pointed out that the 
``[t]he proposed rule for eastern LIS contains the same restrictions as 
those contained within the Final Rule for CLDS and WLDS, with the same 
ultimate goal of the reduction in open water disposal over time.''
    Response #8. EPA agrees with the comment that the standards and 
procedures in the Final Rule will support the goal of eliminating or 
reducing open-water disposal. EPA also agrees that relying solely on 
upland management alternatives for all dredged material from the 
eastern region of the Sound is not feasible at this time. Such 
alternatives will, however, likely be feasible for some of that 
material. For example, sandy material is commonly used for beach and 
nearshore bar nourishment at the present time and the standards in the 
Final Rule expect that sandy material will continue to be used 
beneficially. In addition, it would be impracticable to rely on distant 
open-water sites outside the eastern region of the Sound, or on 
contained in-water disposal, for all dredged material from the eastern 
Sound. See 40 CFR 227.15 and 227.16(b).
    Ultimately, decisions about how particular dredged material will be 
managed will be made in individual project-specific reviews under the 
MPRSA and/or the CWA, with additional overview and coordination 
provided by the Long Island Sound Steering Committee and Regional 
Dredging Team (RDT), as described in the site use restrictions. The 
Steering Committee and RDT have a number of important roles specified 
in the site use for the ELDS, including the identification and piloting 
of beneficial use alternatives, identifying possible resources to 
support those alternatives, and eliminating regulatory barriers, as 
appropriate. EPA expects that the Steering Committee and RDT will, 
generally and on a project specific basis, facilitate the process of 
matching projects, beneficial use alternatives and the resources 
necessary to implement them. The process of continually seeking new 
alternative uses for dredged material will provide the opportunity to 
evaluate approaches not yet fully developed, such as the 
``warehousing'' suggestion. EPA views on-barge dewatering as a 
technique that, while expensive, has promise and should be explored and 
further evaluated by the Steering Committee and RDT. Ultimately, it 
could be become a useful technique for dewatering dredged material to 
prepare it for management using methods other than open-water disposal. 
Managing dredged material by using it to create islands was evaluated 
in the DMMP. The concept of creating islands in waters of the United 
States raises numerous issues (e.g., environmental, water quality, 
regulatory) and any proposal of this type would need to go through a 
very involved regulatory process and would have to meet all legal 
requirements. This is something the Steering Committee and the RDT can 
consider in the future if a proposal is developed.
    EPA agrees with the NY departments that the new site use 
restrictions, agreed upon by the interested state and federal agencies 
and inserted into the CLDS/WLDS regulations, include standards and 
procedures to secure a path forward for achievable, measurable 
reductions in open-water disposal over time. EPA also agrees that these 
same restrictions are now also being applied to the ELDS. In EPA's 
view, it makes sense to treat all regions of Long Island Sound the same 
in this regard.
    Comment #9. EPA received a number of comments concerning potential 
impacts on aquatic species including fish, lobsters and oysters. Some 
expressed concern that the DSEIS: (1) Incorrectly portrays eastern Long 
Island Sound as ``a barren desert with barely any fish or shellfish 
species,'' based in part on what they characterized as an inadequate 
data collection effort; (2) ``glosses over'' the fact that parts of the 
area are federally-designated Essential Fish Habitat (EFH); and (3) 
minimizes the potential impacts of dredged material disposal on 
``struggling lobster populations.'' Another commenter noted that the 
NLDS is adjacent to Fisher's Island, NY, where oyster harvesting has 
been a way of life for centuries, and the threat to water quality posed 
by an expansion of open-water dumping at this site translates directly 
to a loss of important seafood jobs.
    Response #9. With respect to comments about EPA's 
mischaracterization of eastern Long Island Sound in terms of biological 
productivity, there was extensive documentation in the DSEIS and its 
supporting technical reports supporting the conclusion that, while this 
region is generally a highly productive and diverse ecosystem, the area 
in which the ELDS is sited is less so. Compared with some of the hard-
bottom, bedrock and boulder areas in other parts of the region, the 
seafloor in the ELDS is relatively flat and sandy, without the sort of 
structure that typically supports a large diversity of fish or 
shellfish. At the same time, EPA has excluded two areas from the ELDS 
that do include the type of hard-bottom, bedrock and boulder conditions 
that tend to provide relatively better marine habitat. As for concerns 
about the data on fishing activity, EPA made an extensive effort to 
encourage as many fisherman as possible to respond to the survey in 
order to provide information that was as accurate as possible for 
analysis. The survey was made available for 37 days and, as noted in 
the DSEIS, it was distributed via multiple media avenues. Of 440 
respondents, only 229 surveys provided sufficient information (at least 
five questions answered), and very few provided location-specific 
information as to where they fished. Of the 229 respondents, only six 
percent indicated they fished near dredged material disposal sites (one 
percent regularly and five percent occasionally). There is no 
shellfishing in this area, and the closest shellfish aquaculture 
operation is several miles west of the ELDS and closer to shore.
    EPA did not gloss over the existence of EFH in the vicinity of the 
ELDS. As required by the Magnuson-Stevens Fisheries Conservation and 
Management Act, EPA coordinated with the NOAA National Marine Fisheries 
Service (NMFS) to determine whether its proposal to designate the ELDS 
would cause adverse impacts to EFH. NMFS concurred with EPA's 
determination that the designation of the ELDS would not adversely 
affect EFH. The coordination process is fully documented in the DSEIS.
    EPA assessed lobster abundance in the DSEIS and found that 
alternative sites do not contain preferred habitat for lobsters. Prior 
to 1999, lobsters were very abundant throughout Long Island Sound, and 
particularly in the western and central regions. However since the 
major lobster die-off in 1999, lobsters are far less abundant through 
the Sound, and found primarily in the deeper waters of the central 
basin and The

[[Page 87830]]

Race. The 1999 lobster die-off prompted millions of dollars in research 
over the past 16 years, the results of which have led scientists and 
resource managers to believe that the phenomenon was caused by a 
combination of factors, including increased water temperatures, low 
dissolved oxygen levels (hypoxia), a parasitic disease (paramoeba), and 
possibly pesticide runoff. Researchers have not cited dredged material 
disposal as a possible factor in the die-off.
    EPA does not agree that designating the ELDS will threaten 
oystering and the way-of-life of residents of Fisher's Island, NY, or 
cause the loss of jobs in the seafood industry. The boundaries of the 
ELDS have been revised so that it is farther from Fisher's Island, 
entirely outside of the NLDS, and entirely outside of New York State 
waters. EPA's evaluation of the ELDS indicates that designation of the 
site will not cause significant adverse effects to water quality or 
aquatic organisms or their habitat. As a result, the site designation 
will not cause lost jobs in the seafood industry. To the contrary, 
designation of the ELDS may assist the local seafood industry. Fishing 
vessels require adequate navigation channels and berthing areas, which 
are maintained as a result of dredging. Designation of the ELDS should 
facilitate needed dredging by providing an open-water disposal option 
for use when practicable alternative management methods are not 
available.
    Comment #10. Some of those opposing the Proposed Rule stated that 
the dredged material is toxic and should not be placed in the waters of 
Long Island Sound, and requested remediation of such dredged material. 
Commenters questioned the use of older data to support the evaluation 
of dredged material for its suitability for open-water disposal. Some 
commenters noted concern with the introduction of nitrogen from dredged 
material into the system and requested that EPA estimate the quantity 
of nitrogen that would be added to the system from dredged material 
over the next 30 years. EPA also received comments regarding concern 
due to metal or organic contaminant concentrations in sediment and 
benthic organism tissues, elevated breast cancer rates in East Lyme, 
and closed shellfish harvesting areas following rainfall. Some 
commenters suggested that the CTDEEP Remediation Standard Regulations 
should be followed for disposal of dredged material in Long Island 
Sound.
    Response #10. EPA strongly disagrees with the suggestion that toxic 
sediments will be disposed of at the ELDS. Neither the existing laws 
and regulations nor the Final Rule would allow the disposal of toxic 
material at the sites. Rigorous physical, chemical, and biological 
testing and analysis of sediments is conducted prior to any 
authorization to dredge. The MPRSA and EPA's ocean dumping regulations 
provide that sediments that do not pass these tests are considered 
``unsuitable'' and shall not be disposed of at the site.
    EPA believes concerns about the disposal of toxic sediments at the 
NLDS and other Long Island Sound disposal sites also have been 
addressed by the USACE's DAMOS program, which has collected data at 
these sites since the late 1970s. The program has generated over 200 
detailed reports addressing questions and concerns related to placement 
of dredged material in the Sound. These reports indicate that toxic 
sediments are not being placed at open-water disposal sites. Moreover, 
sequential surveys of biological conditions at sites following the 
placement of dredged material consistently show a rapid recovery of the 
benthic community to that of the surrounding habitat outside the 
disposal sites. Monitoring at the NLDS has verified that past 
management practices have been successful in adequately controlling any 
potential adverse impacts to water quality and benthic habitat.
    Furthermore, water and sediment quality have improved in Long 
Island Sound as a result of improvements in the control of point source 
and non-point source pollutant discharges to the Sound and its 
tributaries. At the same time, dredging and dredged material management 
are carefully controlled by federal and state agencies to optimize 
environmental results using tools such as ``environmental windows'' 
that preclude dredging when sensitive aquatic organisms in the vicinity 
of dredging operations would be at an increased risk of being harmed, 
CAD cells or CDFs that sequester unsuitable dredged material, and 
beneficial use projects that avoid open-water disposal of dredged 
material that can be better put to an alternative use (e.g., using sand 
for beach nourishment). This management approach is reflected in the 
site use restrictions for ELDS that are intended to reduce or eliminate 
the open-water disposal of dredged material into Long Island Sound by 
promoting and facilitating the use of available practicable 
alternatives to such open-water disposal.
    Potential risks associated with the bioaccumulation of chemicals 
from sediments at the alternative sites were evaluated by comparing 
contaminant concentrations in tissues of test organisms to Federal Drug 
Administration (FDA) Action/Tolerance Levels for an assessment of 
potential human health impacts and to Ecological Effect Values for an 
assessment of ecological impacts. Ecological Effects Values represent 
tissue contaminant concentrations believed to be safe for aquatic 
organisms, generally derived from the final chronic value of USEPA 
water quality criteria. The FDA Action/Tolerance Levels and Ecological 
Effect Values are commonly used by USEPA and USACE in the dredging 
program to assess risk. This evaluation considers that tissue 
contaminant concentrations that do not exceed FDA Action/Tolerance 
Levels or Ecological Effect Values do not result in a potential human 
health or ecological risk. There is no evidence in the current 
literature or other data evaluated by EPA to support a causative link 
between any elevated cancer rates that may exist in East Lyme and 
dredged material disposal in Long Island Sound.
    Shellfish bed closures are typically a result of bacterial 
contamination from untreated or poorly treated sanitary wastewater, 
stormwater runoff, marine biotoxins, or elevated water temperatures. 
There is no evidence that shellfish harvesting in Long Island Sound, 
most of which is from aquaculture operations conducted in open waters 
off the coast, is, or will be, affected by dredged material disposal at 
the ELDS.
    Regarding comments about older studies referenced in the DSEIS, 
such as those conducted in support of the 2004 EIS that supported the 
designation of the CLDS and WLDS, EPA used the best available 
literature during the development of the DSEIS. Some of this material 
was older and some was more recent. EPA also has included as part of 
the FSEIS relevant data from more recent studies (such as fisheries 
data) that were not available at the time the DSEIS was published. In 
all cases, EPA evaluated whether the data was relevant and appropriate 
for addressing whatever issue was at hand. While some parameters may 
change constantly, others remain consistent for long periods of time. 
Typically, older data were supplemented with newer data, or juxtaposed 
to newer data, to help depict trends and patterns in the study area.
    As to the concern about dredged material disposal in Long Island 
Sound contributing to nitrogen loading in these waters, EPA notes that 
nitrogen loading is a concern due to its potential to help fuel 
excessive algae levels, which could be one potential driver of hypoxia 
in western Long Island Sound. In Chapter 5.2.1 of the DSEIS, however, 
EPA

[[Page 87831]]

discussed the relative insignificance of nitrogen loading from dredged 
material disposal. The USACE also addressed the issue in Section 3.5.2 
of the DMMP. The annual placement of dredged material at the open-water 
sites is estimated to add less than one tenth of one percent of the 
overall annual nitrogen loading to Long Island Sound.
    Finally, EPA disagrees with the request to follow the CTDEEP 
Remediation Standard Regulations (RSRs). The RSRs are not applicable to 
dredged material from marine waters placed at open-water disposal 
sites. Rather, they ``identify the technical standards for the 
remediation of environmental pollution at hazardous waste sites and 
other properties that have been subject to a spill, release or 
discharge of hazardous wastes or hazardous substances.'' The MPRSA and 
Ocean Dumping Regulations limit the potential for adverse environmental 
impacts associated with dredged material disposal by requiring that the 
dredged material from each proposed dredging project be subject to 
sediment testing requirements. Suitability is determined by analyzing 
the sediments proposed for dredging for their physical characteristics 
as well as for toxicity and bioaccumulation. If it is determined that 
the sediment is unsuitable for open-water disposal--that is, that it 
may unreasonably degrade or endanger human health or the marine 
environment--it cannot be placed at disposal sites designated under the 
MPRSA.
    Comment #11. EPA received comments from the Shinnecock Tribal 
Nation noting the tribe's longstanding reliance on the waters of Long 
Island Sound for ``food, travel and spiritual renewal.'' The Shinnecock 
have high regard for these waters and, as a steward for this resource, 
feel a shared responsibility to protect it and to speak for other life 
forms that rely on it but cannot speak for themselves. The Shinnecock's 
comments note that work is beginning to investigate whether ``submerged 
paleo cultural landscapes'' exist that would indicate that the tribe's 
ancestors lived farther offshore than currently understood. The tribe 
expresses concern that dredged material placement at an open-water site 
could further bury any evidence of such sites. The tribe also expresses 
concern over how long it takes aquatic organisms to recover from open-
water placement of dredged material and whether such placement at a 
designated site will adversely affect whales. Finally, the Shinnecock 
note that their concern over water pollution is related to their 
historic use of Long Island Sound as a travel route, which they still 
use for canoe journeys.
    Response #11. EPA acknowledges and respects the Shinnecock Tribal 
Nation's stewardship, concern, and reliance upon the waters of Long 
Island Sound. As tasked by Congress under the CWA and MPRSA, EPA also 
is a steward of Long Island Sound with a mission of protecting its 
physical, chemical, and biological integrity, and protecting human and 
ecological health from harm that could result from the disposal of 
material into these waters. As a result, EPA believes that its goals 
align well with the environmental interests of the Shinnecock Tribal 
Nation.
    With regard to the possibility that dredged material disposal might 
further bury submerged evidence of settlements of the Shinnecock's 
ancestors, EPA notes that it is currently unaware of any specific 
reason to believe that such submerged evidence may exist at the ELDS or 
the other site alternatives. In evaluating site alternatives, EPA 
considered the site selection criteria in EPA's regulations, which 
include whether ``any significant natural or cultural features of 
historical importance'' may exist ``at or in close proximity to'' the 
disposal sites. See 40 CFR 228.6(a)(11). EPA's consideration of this 
criterion dovetailed with its consultation with the State Historic 
Preservation Officers of both Connecticut and New York, as well as its 
consultation with the Shinnecock Indian Nation. In addition, EPA 
conducted side-scan sonar survey work to look for possible historic 
resources in the area of the disposal sites and none of this work 
identified any archaeological or historical artifacts of cultural 
significance. If later investigations identify the presence of 
submerged artifacts of cultural importance to the Shinnecock Indian 
Nation, EPA will consult with the tribe regarding how to respond 
appropriately in terms of the future use and management of the site.
    As discussed in detail elsewhere in the preamble, no significant 
adverse effects will occur to water quality, habitat value, or marine 
organisms, as a result of using the ELDS as a dredged material disposal 
site. With regard to the concern expressed about possible impacts to 
whales, EPA evaluated the potential for the site designation to affect 
endangered species, including whales, and concluded that adverse 
effects to whales or their critical habitat were unlikely to result 
from the site designation. The National Marine Fisheries Service 
concurred with EPA's conclusion.
    Finally, regarding the Shinnecock using the waters of Long Island 
Sound for canoe journeys, nothing about the designation of the ELDS 
should interfere with or preclude such journeys. First, the dredging 
(and therefore dredged material disposal) season is restricted to avoid 
the warmer weather months for ecological reasons, but this also ensures 
that dredging traffic and disposal is less likely to interfere with 
other boating activities that tend to be occur during warmer weather. 
Second, any dredged material disposal would be concentrated in one 
offshore area as a result of designating the ELDS. This would tend to 
minimize any conflicts with non-dredging-related navigation. Finally, 
multiple types of navigational activities (e.g., recreational, 
commercial, military) have coexisted with dredged material disposal-
related navigation for years in Long Island Sound and EPA expects that 
this will continue after designation of the ELDS.
    Comment #12. EPA received a number of very specific and detailed 
comments on aspects of the studies and findings in the DSEIS and its 
appendices. Subjects included the physical oceanography study in 
Appendix C, physical energy and hydrodynamics, sediments, and tidal 
energy projects, among others.
    Response #12. EPA's detailed responses to these comments are 
contained in the Response to Comments document that is included in the 
FSEIS as Appendix J and placed in the public docket and on the Web site 
identified in the ADDRESSES section of this document.

VII. Changes From Proposed Rule

    In response to public comment, as previously described, EPA has 
made certain adjustments to the boundaries of the ELDS as it was 
proposed. These adjustments have reduced the size of the ELDS from 
approximately 1 x 2 nm to approximately 1 x 1.5 nm (and an area of 1.3 
nmi\2\), and the capacity of the site from 27 mcy to approximately 20 
mcy. The specific boundary adjustments and the reasons for them have 
been discussed above and are further discussed below.
    EPA also has decided not to designate the NBDS or CSDS. In the 
Proposed Rule, EPA did not propose to designate either of these two 
sites, but did request public comment on whether either or both ought 
to be designated in addition to, or instead of, the ELDS. EPA received 
some public comments favoring designation of the NBDS or CSDS, and 
other comments opposing the designation of either site. Some commenters 
favored designation of the ELDS, while others commented that no

[[Page 87832]]

designated disposal site was needed in the eastern portion of the 
Sound. After considering all these comments, EPA decided to designate 
only the ELDS. This decision was based primarily on the Agency's 
determination that one site is sufficient to meet the dredging needs of 
the eastern Long Island Sound region, and that the ELDS is the best 
site when evaluated in light of the site selection criteria in the 
Ocean Dumping Regulations. EPA also received public comments that 
support this decision.
    The Final Rule for the ELDS, as with the Proposed Rule, 
incorporates by reference the site use restrictions, including the 
standards and procedures, contained in the final amended site 
designation rule for the Central and Western Long Island Sound dredged 
material disposal sites. These restrictions are further described in 
Section IX (``Restrictions'').

VIII. Compliance With Statutory and Regulatory Authorities

    EPA has conducted the dredged material disposal site designation 
process consistent with the requirements of the MPRSA, NEPA, CZMA, the 
Endangered Species Act (ESA), the Magnuson-Stevens Fishery Conservation 
and Management Act (MSFCMA), and any other applicable legal 
requirements.

A. Marine Protection, Research, and Sanctuaries Act

    Section 102(c) of the MPRSA, as amended, 33 U.S.C. 1412(c), et 
seq., gives the Administrator of EPA authority to designate sites where 
ocean disposal of dredged material may be permitted. See also 33 U.S.C. 
1413(b) and 40 CFR 228.4(e). Neither statute nor regulation 
specifically limits how long an EPA-designated disposal site may be 
used. Thus, EPA site designations can be for an indefinite term and are 
generally thought of as long-term designations. EPA may, however, place 
various restrictions or limits on the use of a site based on the site's 
capacity to accommodate dredged material or other environmental 
concerns. See 33 U.S.C. 1412(c).
    Section 103(b) of the MPRSA, 33 U.S.C. 1413(b), provides that any 
ocean disposal of dredged material should occur at EPA-designated sites 
to the maximum extent feasible. In the absence of an available EPA-
designated site, however, the USACE is authorized to ``select'' 
appropriate disposal sites. There are currently no EPA-designated 
dredged material disposal sites in the eastern portion of Long Island 
Sound. There are two active USACE-selected sites in that region, the 
NLDS and CSDS, but neither will be available after December 23, 2016, 
when their Congressionally-authorized term of use expires.
    The Ocean Dumping Regulations, see generally 40 CFR subchapter H, 
prescribe general and specific criteria at 40 CFR 228.5 and 228.6, 
respectively, to guide EPA's choice of disposal sites for final 
designation. Ocean dumping sites designated on a final basis are 
promulgated by EPA at 40 CFR 228.15. See 40 CFR 228.4(e)(1). Section 
102(c) of the MPRSA, 33 U.S.C. 1412(c), and 40 CFR 228.3 also establish 
requirements for EPA's ongoing management and monitoring, in 
conjunction with the USACE, of disposal sites designated by EPA. This 
enables EPA to ensure that unacceptable, adverse environmental impacts 
do not occur from the placement of dredged material at designated 
sites. Examples of site management and monitoring measures employed by 
EPA and the USACE include the following: Regulating the times, rates, 
and methods of disposal, as well as the quantities and types of 
material that may be disposed; conducting pre- and post-disposal 
monitoring of sites; conducting disposal site evaluation studies; and, 
if warranted, recommending modification of site use and/or designation 
conditions and restrictions. See also 40 CFR 228.7, 228.8, 228.9.
    A disposal site designation by EPA does not actually authorize the 
disposal of particular dredged material at that site. It only makes the 
site available as a possible management option if various other 
conditions are met first. Disposal of dredged material at a designated 
site must first be authorized by the USACE under MPRSA section 103(b), 
subject to EPA review under MPRSA 103(c). USACE authorization can only 
be granted if: (1) It is determined that there is a need for open-water 
disposal for that project (i.e., that there are no practicable 
alternatives to such disposal that would cause less harm to the 
environment); and (2) the dredged material is found suitable for open-
water disposal by satisfying the applicable environmental criteria 
specified in EPA's regulations at 40 CFR part 227. See 40 CFR 227.1(b), 
227.2, 227.3, 227.5, 227.6 and 227.16. An authorization for disposal 
also must satisfy other applicable legal requirements, such as those 
under the ESA, the MSFCMA, the CWA (including any applicable state 
water quality standards), NEPA, and the CZMA. The text below discusses 
EPA's evaluation of the ELDS for this Final Rule using the applicable 
site selection criteria from EPA's MPRSA regulations. It also discusses 
the Agency's compliance with site management and monitoring 
requirements.
    EPA's evaluation considered whether there was a need to designate 
one or more disposal sites for long-term dredged material disposal, 
including an assessment of whether other dredged material management 
methods could reasonably be judged to obviate the need for such 
designations. From this evaluation, EPA concluded that one or more 
open-water disposal sites were needed. EPA then assessed whether sites 
were available that would satisfy the applicable environmental criteria 
to support a site designation under MPRSA section 102(c). In deciding 
to designate the ELDS, as specified in this Final Rule, EPA complied 
with all applicable procedural requirements and substantive criteria 
under the MPRSA and EPA regulations.
1. Procedural Requirements
    MPRSA sections 102(c) and 103(b) indicate that EPA may designate 
ocean disposal sites for dredged material. EPA regulations at 40 CFR 
228.4(e) specify that dredged material disposal sites will be 
``designated by EPA promulgation in this [40 CFR] part 228 . . . .'' 
EPA regulations at 40 CFR 228.6(b) direct that if an EIS is prepared by 
EPA to assess the proposed designation of one or more disposal sites, 
it should include the results of an environmental evaluation of the 
proposed disposal site(s). In addition, the Draft SEIS (DSEIS) should 
be presented to the public along with a proposed rule for the proposed 
disposal site designation(s), and a Final SEIS (FSEIS) should be 
provided at the time of final rulemaking for the site designation.
    EPA has complied with all procedural requirements. The Agency 
prepared a thorough environmental evaluation of the site proposed for 
designation and other alternative sites and courses of action 
(including the option of not designating an open-water disposal site). 
This evaluation was first presented in a DSEIS (and related documents) 
and a Proposed Rule for promulgation of the disposal sites. EPA 
published the Proposed Rule and a notice of availability of the DSEIS 
(81 FR 24748) for a 60-day public comment period on April 27, 2016, and 
subsequently extended the comment period by 21 days (to July 18, 2016) 
to give the public additional time to comment on the proposed site 
designation. By this Final Rule, EPA is now completing the designation 
of the ELDS by promulgation in 40 CFR part 228.
    Finally, MPRSA sections 102(c)(3) and (4) dictate that EPA must, in

[[Page 87833]]

conjunction with the USACE, develop a site management plan for each 
dredged material disposal site it proposes to designate. MPRSA section 
102(c)(3) also states that in the course of developing such management 
plans, EPA and the USACE must provide an opportunity for public 
comment. EPA and the USACE have met this obligation by publishing for 
public review and comment a Draft SMMP for the ELDS. The Draft SMMP was 
published with the DSEIS (as Appendix I) and the proposed rule on April 
27, 2016. After considering public comments regarding the SMMP, EPA and 
the USACE are publishing the Final SMMP for the ELDS as Appendix I of 
the FSEIS.
2. Disposal Site Selection Criteria
    EPA regulations under the MPRSA identify four general criteria and 
11 specific criteria for evaluating locations for the potential 
designation of dredged material disposal sites. See 40 CFR 228.4(e), 
228.5 and 228.6. EPA's evaluation of the ELDS with respect to the four 
general and 11 specific criteria was discussed in the DSEIS and the 
Proposed Rule and is further discussed in detail in the FSEIS and 
supporting documents and is summarized below.
a. General Criteria (40 CFR 228.5)
    EPA has determined that the ELDS satisfies the four general 
criteria specified in 40 CFR 228.5. This is discussed in Chapter 5 and 
summarized in Table 5-9, ``Summary of Impacts for Action and No Action 
Alternatives of the FSEIS.''
    i. Sites must be selected to minimize interference with other 
activities in the marine environment, particularly avoiding areas of 
existing fisheries or shellfisheries, and regions of heavy commercial 
or recreational navigation (40 CFR 228.5(a)).
    EPA's evaluation determined that use of the ELDS--as modified in 
this Final Rule in response to public comments and further evaluation--
would cause minimal interference with the aquatic activities identified 
in this criterion. The site is not located in shipping lanes or any 
other region of heavy commercial or recreational navigation. In 
addition, the site is not located in an area that is important for 
commercial or recreational fishing or shellfish harvesting. Analysis of 
this data indicated that use of the site would have minimal potential 
for interfering with other existing or ongoing uses of the marine 
environment in and around the ELDS, including lobster harvesting or 
fishing activities. In addition, the nearby NLDS has been used for 
dredged material disposal for many years; not only has this activity 
not significantly interfered with the uses identified in this 
criterion, but mariners in the area are accustomed to dealing with the 
presence of a dredged material disposal site. With the adjustment to 
the eastern boundary of the ELDS, EPA is even more confident that the 
site will not pose a hazard to navigation. Finally, time-of-year 
restrictions (also known as ``environmental windows'') imposed to 
protect fishery resources will typically limit dredged material 
disposal activities to the months of October through April, thus 
further minimizing any possibility of interference with the various 
activities specified in this criterion.
    ii. Sites must be situated such that temporary perturbations to 
water quality or other environmental conditions during initial mixing 
caused by disposal operations would be reduced to normal ambient levels 
or to undetectable contaminant concentrations or effects before 
reaching any beach, shoreline, marine sanctuary, or known 
geographically limited fishery or shellfishery (40 CFR 228.5(b)).
    EPA's analysis concludes that the ELDS, as adjusted for this Final 
Rule, satisfies this criterion. First, the site is a significant 
distance from any beach, shoreline, marine sanctuary (in fact, there 
are no federally-designated marine sanctuaries in Long Island Sound), 
or known geographically limited fishery or shellfishery. Second, the 
site will be used only for the disposal of dredged material determined 
to be suitable for open-water disposal by application of the MPRSA's 
ocean dumping criteria. See 40 CFR part 227. These criteria include 
provisions related to water quality and account for initial mixing. See 
40 CFR 227.4, 227.5(d), 227.6(b) and (c), 227.13(c), 227.27, and 
227.29. Data evaluated during development of the FSEIS, including data 
from monitoring conducted during and after past disposal activities, 
indicates that any temporary perturbations in water quality or other 
environmental conditions at the site during initial mixing from 
disposal operations will be limited to the immediate area of the site 
and will neither cause any significant environmental degradation at the 
site nor reach any beach, shoreline, marine sanctuary, or other 
important natural resource area.
    iii. The sizes of disposal sites will be limited in order to 
localize for identification and control any immediate adverse impacts, 
and to permit the implementation of effective monitoring and 
surveillance to prevent adverse long-range impacts. Size, 
configuration, and location are to be determined as part of the 
disposal site evaluation (40 CFR 228.5(d)).
    EPA has determined, based on the information presented in the 
FSEIS, that the ELDS, in its final configuration, is sufficiently 
limited in size to allow for the identification and control of any 
immediate adverse impacts, and to permit the implementation of 
effective monitoring and surveillance to prevent adverse long-term or 
cumulative impacts. To put things in perspective, the size of the ELDS 
is approximately 1.3 nmi\2\, which is just 0.003 (0.03 percent) of the 
approximately 370 nmi\2\ surface area of the eastern Long Island Sound 
region, and just 0.001 (less than one-tenth of one-percent) of the 
approximately 1300 nmi\2\ surface area of the entire Long Island Sound. 
The designation of just this one site reduces the overall number of 
active disposal sites in Long Island Sound from four to three. The long 
history of dredged material disposal site monitoring in New England 
through the USACE's Disposal Area Monitoring System (DAMOS), and 
specifically at active and historic dredged material disposal sites in 
Long Island Sound, provides ample evidence that these surveillance and 
monitoring programs are effective at determining physical, chemical, 
and biological impacts at dredged material disposal sites such as the 
ELDS.
    The boundaries of the ELDS are identified by specific coordinates 
provided in Table 5-11 of the FSEIS, and the use of precision 
navigation equipment in both dredged material disposal operations and 
monitoring efforts will enable accurate disposal operations to be 
conducted, and also will contribute to effective management and 
monitoring of the sites. Detailed plans for the management and 
monitoring of the ELDS are described in the SMMP (Appendix I of the 
FSEIS). Finally, as discussed herein and in the FSEIS, EPA has tailored 
the boundaries of the ELDS, and site management protocols, in light of 
site characteristics such as local currents and bottom features, so 
that the area and boundaries of the sites are optimized for 
environmentally sound dredged material disposal operations.
    iv. EPA will, wherever feasible, designate ocean dumping sites 
beyond the edge of the continental shelf and other such sites that have 
been historically used (40 CFR 228.5(e)).
    EPA evaluated sites beyond the edge of the continental shelf and 
historical disposal sites in Long Island Sound as part of the 
alternatives analysis conducted for the FSEIS. The continental shelf 
extends about 60 nmi seaward from Montauk Point, New

[[Page 87834]]

York, and a site located on the continental slope would result in a 
transit of approximately 80 nmi from New London. This evaluation 
determined that the long distances and travel times between the 
dredging locations in eastern Long Island Sound and the continental 
shelf posed significant environmental, operational, safety, and 
financial concerns, rendering such options unreasonable and not 
practicable. Environmental concerns include increased risk of 
encountering endangered species during transit, increased fuel 
consumption and air emissions, and greater potential for accidents in 
transit that could lead to dredged material being dumped in unintended 
areas.
    As described in Section V (``Disposal Site Description''), while 
the ELDS, as modified, does not include any areas that have been used 
historically for dredged material disposal, its eastern boundary is the 
western boundary of the historically used NLDS. Thus, the modified site 
is in the general vicinity of the historically used NLDS. To the extent 
that the ELDS boundaries have been adjusted from those described in the 
Proposed Rule to include only adjacent areas outside of the existing 
site, EPA has concluded that these adjustments will be environmentally 
beneficial, as discussed in the FSEIS. For example, rather than propose 
designation of part of the existing NLDS, the eastern half of which is 
at capacity and nearing depths that could lead to scouring of the 
sediment by surface currents and storms, EPA's final designation of 
ELDS encompasses two areas (formerly NL-Wb and NL-Wa) immediately to 
the west of the NLDS. Moving the site to the west is consistent with 
public comments urging that the originally proposed ELDS be moved to 
the west, farther from the New London Harbor approach lane and 
submarine transit corridor in that area of the Sound. It is also 
consistent with public comments that favored sites that were further 
from New York state waters. These two adjacent areas have been 
determined to be suitable for use as containment areas by physical 
oceanographic modeling. Long-term monitoring of the adjacent NLDS has 
shown minimal adverse impacts to the marine environment and rapid 
recovery of the benthic community in the disposal mounds. Similarly, 
adverse impacts are not expected to result from use of the new ELDS. 
While there are other historically used disposal sites in eastern Long 
Island Sound, the analysis in the FSEIS and summarized herein concludes 
that the ELDS is the preferable location. Thus, designation of the ELDS 
would be consistent with this criterion.
b. Specific Criteria (40 CFR 228.6)
    In addition to the four general criteria discussed above, 40 CFR 
228.6(a) lists eleven specific factors to be used in evaluating the 
impact of using a site for dredged material disposal under the MPRSA. 
Compliance with the eleven specific criteria is discussed below. It is 
also discussed in detail in Chapter 5 and summarized in Table 5-13, 
``Summary of Impacts at the Alternative Sites,'' of the FSEIS.
    i. Geographical Position, Depth of Water, Bottom Topography and 
Distance From Coast (40 CFR 228.6(a)(1)).
    Water depths at the ELDS range from approximately 59 feet (18 m) in 
the north to 100 feet (30 m) in the south. As described above, the 
closest points of land to the site are Harkness Memorial State Park in 
Waterford, Connecticut, approximately 1.1 nmi to the north, and Fishers 
Island, New York, approximately 2.3 nmi to the east. Based on analyses 
in the FSEIS, EPA has concluded that the ELDS's geographical position 
(i.e., location), water depth, and bottom topography (i.e., 
bathymetry), along with the absence of strong bottom currents at the 
site, will result in containment of dredged material within site 
boundaries. As described in Section V (``Disposal Site Description''), 
and in the above discussion of compliance with general criteria iii and 
iv (40 CFR 228.5(c) and (d)), the ELDS also is located far enough from 
shore and lies in deep enough water to avoid adverse impacts to the 
coastline.
    Because the ELDS is a containment area, dredged material placed 
there is expected to remain within the site and not affect adjacent 
seafloor areas. Long-term monitoring of the NLDS and other disposal 
sites in Long Island Sound supports that determination. Any short-term 
impacts during dredged material placement, such as burial of benthic 
organisms or temporarily increasing the turbidity in the water column 
within the disposal site, will be localized at the site. As explained 
farther below in this analysis and in the FSEIS, although dredged 
material disposal will cause these localized, short-term effects, these 
effects are not expected to result in significant short-term or long-
term adverse impacts to the environment.
    ii. Location in Relation To Breeding, Spawning, Nursery, Feeding, 
or Passage Areas of Living Resources in Adult or Juvenile Phases (40 
CFR 228.6(a)(2)).
    EPA considered the ELDS, as modified for this Final Rule, in 
relation to breeding, spawning, nursery, feeding, and passage areas for 
adult and juvenile phases (i.e., life stages) of living resources in 
Long Island Sound. From this analysis, EPA concluded that, while 
disposal of suitable dredged material at the ELDS would cause some 
short-term, localized effects, overall it would not cause adverse 
effects to the habitat functions and living resources specified in the 
above criterion.
    The ELDS does not encompass or infringe upon any breeding, 
spawning, nursery, feeding or passage area of particular or heightened 
importance for juvenile or adult living resources. That said, EPA has 
noted that in the north-central area of the ELDS as delineated in the 
Proposed Rule, there is a hard-bottom area with rocky outcroppings that 
appears likely to constitute high quality habitat for fish and other 
aquatic organisms, and there is a similar hard bottom area in the 
extreme southwestern corner of the ELDS. As a result, EPA has redrawn 
the northern and southern boundaries of the ELDS to avoid these 
particular areas.
    Generally, there are three primary ways that dredged material 
disposal could potentially adversely affect marine resources. First, 
disposal can cause physical impacts by injuring or burying less mobile 
fish, shellfish, and benthic organisms, as well as their eggs and 
larvae. Second, tug and barge traffic transporting the dredged material 
to a disposal site could possibly collide or otherwise interfere with 
marine mammals and reptiles. Third, if contaminants in the dredged 
material are taken in by aquatic organisms, these contaminants could 
potentially bioaccumulate through the food chain. However, EPA and the 
other federal and state agencies that regulate dredging and dredged 
material disposal impose requirements that prevent or greatly limit the 
potential for these types of impacts to occur.
    For example, the agencies impose ``environmental windows,'' or 
time-of-year restrictions, for both dredging and dredged material 
disposal. This type of restriction has been a standard practice for 
more than a decade in Long Island Sound, and New England generally, and 
is incorporated in USACE permits and authorizations in response to 
consultation with federal and state natural resource agencies (e.g., 
the National Marine Fisheries Service (NMFS)). Dredging, and 
corresponding dredged material disposal in Long Island Sound, is 
generally limited to the period between October 1 and April 30 to avoid 
time periods of possibly

[[Page 87835]]

heightened threat to aquatic organisms. Indeed, environmental windows 
are often set depending on the location of specific dredging projects 
in relation to certain fish and shellfish species. For example, 
dredging in nearshore areas where winter flounder spawning occurs is 
generally prohibited between February 1 and April 1; dredging that may 
interfere with anadromous fish runs is generally prohibited between 
April 1 and May 15; and dredging that may adversely affect shellfish is 
prohibited between June 1 and September 30. These environmental windows 
limiting when dredging can occur also, in effect, restrict periods when 
dredged material disposal could occur.
    Another benefit of using environmental windows is that they reduce 
the likelihood of dredged material disposal activities interfering with 
marine mammals and reptiles. There are several species of marine mammal 
or reptile, such as harbor porpoises, long-finned pilot whales, seals, 
and sea turtles that either inhabit or migrate through Long Island 
Sound. During the winter months, however, most of these species either 
leave the Sound for warmer waters to the south or are less active and 
remain near the shore. There also are many species of fish (e.g., 
striped bass, bluefish, and scup) and invertebrates (e.g., squid) that 
leave the Sound during the winter for either deeper water or warmer 
waters to the south, thus avoiding the time of year when most dredging 
and dredged material disposal occurs. The use of environmental windows 
has been refined over time and is considered an effective management 
tool to minimize impacts to marine resources.
    Dredged material disposal will, however, have some short-term, 
localized impacts to fish, shellfish, and benthic organisms, such as 
clams and worms, that are present at a disposal site (or in the water 
column directly above the site) during a disposal event. The sediment 
plume may entrain and smother some fish in the water column, and may 
bury some fish, shellfish, and other marine organisms on the sea floor. 
It also may result in a short-term loss of forage habitat in the 
immediate disposal area, but the DAMOS program has documented the 
recolonization of disposal mounds by benthic infauna within 1-3 years 
after disposal, and this pattern would be expected at the sites 
evaluated in the FSEIS. As discussed in the FSEIS (section 5.2.2), over 
time, disposal mounds recover and develop abundant and diverse 
biological communities that are healthy and able to support species 
typically found in the ambient surroundings. Some organisms may burrow 
deeply into sediments, often up to 20 inches, and are more likely to 
survive a burial event.
    The MPRSA regulations further limit the potential for adverse 
environmental impacts associated with dredged material disposal by 
requiring that the dredged material from each proposed dredging project 
be subject to the MPRSA sediment testing requirements, set forth at 40 
CFR 227.6, to determine the material's suitability for open-water 
disposal. Such suitability is determined by analyzing the sediments 
proposed for dredging for their physical characteristics as well as for 
toxicity and bioaccumulation. In addition, the regulatory agencies 
quantify the risk to human health that would result from consuming 
marine organisms exposed to the dredged material and its associated 
contaminants using a risk assessment model. If it is determined that 
the sediment is unsuitable for open-water disposal--that is, that it 
may unreasonably degrade or endanger human health or the marine 
environment--it cannot be placed at disposal sites designated under the 
MPRSA. See 40 CFR 227.6. In light of these strict controls, EPA does 
not anticipate significant effects on marine organisms from dredged 
material disposal at the sites under evaluation.
    EPA recognizes that dredged material disposal causes some short-
term, localized adverse effects to marine organisms in the immediate 
vicinity of each disposal event. Dredged material disposal would be 
limited, however, to suitable material at the one site (see above 
regarding compliance with general criteria (40 CFR 228.5(e)), and only 
during the several colder-weather months of the year. As a result, EPA 
concludes that designating the ELDS would not cause significant, 
unacceptable or unreasonable adverse impacts to breeding, spawning, 
nursery, feeding, or passage areas of living resources in adult or 
juvenile phases. Moreover, there is no evidence that designating the 
ELDS would have significant long-term effects on benthic processes or 
habitat conditions.
    iii. Location in Relation to Beaches and Other Amenity Areas (40 
CFR 228.6(a)(3)).
    EPA's analysis concludes that the ELDS satisfies this criterion. 
The ELDS is far enough away from beaches, parks, wildlife refuges, and 
other areas of special concern to prevent adverse impacts to these 
amenities. Also, as previously noted, there are no marine sanctuaries 
in Long Island Sound. The ELDS is approximately 2.3 nmi from the 
closest public beach in New York, on the western shore of Fishers 
Island, and approximately 1.1 nmi from the beach at Harkness Memorial 
State Park in Waterford, Connecticut. Given that the ELDS is a 
containment site, no material placed at the site would be expected to 
move from the site to these amenity areas. As noted above, any 
temporary perturbations in water quality or other environmental 
conditions at the site during initial mixing from disposal operations 
will be limited to the immediate area of the site and will not reach 
any beach, parks, wildlife refuges, or other areas of special concern.
    iv. Types and Quantities of Wastes Proposed To Be Disposed of, and 
Proposed Methods of Release, Including Methods of Packing the Waste, if 
Any (40 CFR 228.6(a)(4)).
    The ELDS is being designated to receive only suitable dredged 
material; disposal of other types of material will not be allowed. The 
MPRSA and EPA regulations expressly prohibit open water disposal of 
certain other types of material (e.g., industrial waste, sewage sludge, 
chemical warfare agents, and insufficiently characterized materials) 
(33 U.S.C. 1414b; 40 CFR 227.5).
    The typical composition of dredged material to be disposed at the 
sites is expected to range from predominantly ``clay-silt'' to ``mostly 
sand.'' This expectation is based on historical data from dredging 
projects in the eastern region of Long Island Sound. For federal 
dredging projects and private projects generating more 25,000 cubic 
yards of dredged material, EPA and the USACE will conduct sediment 
suitability determinations applying the criteria for testing and 
evaluating dredged material under 40 CFR part 227, and further guidance 
in the ``Regional Implementation Manual for the Evaluation of Dredged 
Material Proposed for Disposal in New England Waters'' (EPA, 2004). 
Dredged material must satisfy these suitability criteria before it can 
be authorized for disposal under the MPRSA. In accordance with MPRSA 
Sec.  106(f), private dredging projects generating up to 25,000 cubic 
yards will continue to be regulated under CWA section 404.
    Dredged material to be placed at the ELDS would be transported by 
either government or private contractor hopper dredges or oceangoing 
bottom-dump barges (``scows'') towed by a towing vessel (e.g., 
tugboat). Both types of equipment release the material at or very near 
the surface, which is the standard operating procedure for this 
activity. The disposal of this material will occur at specific 
coordinates marked by buoys, and will be placed so as to concentrate 
material from each

[[Page 87836]]

disposal project. This concentrated placement is expected to help 
minimize bottom impacts to benthic organisms. In addition, there are no 
plans to pack or package dredged material prior to disposal.
    As previously discussed, the USACE's DMMP projected that dredging 
in eastern Long Island Sound will generate approximately 22.6 million 
cubic yards (mcy) of dredged material over the next 30 years, including 
17.9 mcy from Connecticut ports and harbors and 4.7 mcy from ports and 
harbors in New York. Of the total amount of 22.6 mcy, approximately 
13.5 mcy are projected to be fine-grained sediment that meets MPRSA and 
CWA standards for aquatic disposal (i.e., ``suitable'' material), and 
9.1 mcy are projected to be course-grained sand that also meets MPRSA 
and CWA standards for aquatic disposal (i.e., also ``suitable'' 
material).
    As discussed above in Section VI (``Summary of Public Comments and 
EPA's Responses''), EPA asked the USACE to conduct another analysis to 
further refine the actual disposal capacity needed as compared with the 
original dredging needs estimate, taking into consideration EPA's 
designation of only one site, past dredging experience, and other 
factors, such as the potential for future improvement dredging projects 
and extreme storm events, and accounting for consolidation of dredged 
material in the disposal site. The USACE's disposal capacity analysis 
determined that the necessary capacity was approximately 20 mcy, which 
will be just met by the capacity of the ELDS. For all of these reasons, 
no significant adverse impacts are expected to be associated with the 
types and quantities of dredged material that may be disposed at the 
sites.
    v. Feasibility of Surveillance and Monitoring (40 CFR 228.6(a)(5)).
    Monitoring and surveillance will be feasible at the ELDS. The site 
is conducive to monitoring because it is a containment site and 
material placed at the site is expected to stay there. The ELDS is 
readily accessible for sediment grab, bathymetric, and side-scan sonar 
surveys. The nearby NLDS has been successfully monitored by the USACE 
over the past 35 years under the DAMOS program. Monitoring of the ELDS 
would be carried out under the DAMOS program in accordance with the 
current approved Site Management and Monitoring Plan (SMMP) for the 
site. In conjunction with the Proposed Rule, EPA and the USACE 
developed a draft SMMP and published it for public review and comment. 
The agencies have now developed a final SMMP in connection with this 
Final Rule. The final SMMP for the ELDS is included as Appendix I of 
the FSEIS.
    The SMMP is subject to review and updating at least once every ten 
years, if necessary, and may be subject to additional revisions based 
on the results of site monitoring and other new information. Any such 
revisions will be closely coordinated with other federal and state 
resource management agencies and stakeholders during the review and 
approval process and will become final only when approved by EPA, in 
conjunction with the USACE. See 33 U.S.C. 1413 (c)(3).
    vi. Dispersal, Horizontal Transport and Vertical Mixing 
Characteristics of the Area, Including Prevailing Current Direction and 
Velocity, if Any (40 CFR 228.6(a)(6)).
    Although the interactions of bathymetry, wind-generated waves, and 
river and ocean currents in Long Island Sound are complex, EPA has 
conducted a rigorous assessment of bottom stress, hydrodynamic 
processes, and storm-driven wave action at the ELDS. The assessment 
included data collection and modeling of disposal of dredged material 
under a variety of conditions. The assessment concluded that the area 
that encompasses both the ELDS and NLDS has the least amount of bottom 
stress compared with the other sites in the eastern Long Island Sound 
region that were assessed. This supports EPA's conclusion that the ELDS 
provides for the greatest stability of disposal mounds and is the 
optimal location for a containment site. See e.g., 40 CFR 
228.15(b)(4)(vi)(L)). Consistent with this, past monitoring during 
disposal operations at the NLDS (in the vicinity of the ELDS) revealed 
minimal drift of sediment out of the disposal site area as it passed 
through the water column. EPA expects the same result at the ELDS.
    Disposal site monitoring has confirmed that peak wave-induced 
bottom current velocities are not sufficient to cause significant 
erosion of dredged material placed at the ELDS. As noted above, 
physical oceanographic monitoring and modeling has indicated that the 
ELDS is a depositional location that collects, rather than disperses, 
sediment. As a result, EPA has determined that the dispersal, 
horizontal transport, and vertical mixing characteristics, as well as 
the current velocities and directions at the ELDS, all support 
designating it as a long-term dredged material disposal site.
    vii. Existence and Effects of Current and Previous Discharges and 
Dumping in the Area (Including Cumulative Effects) (40 CFR 
228.6(a)(7)).
    As previously described in Section V (``Disposal Site 
Description''), the ELDS is west of, and adjacent to, the NLDS, which 
has received approximately 8.9 mcy (6.7 million m\3\) of dredged 
material since 1955. The NLDS was used regularly until the early 2000s 
and is still an active site, but it has not been used frequently in 
recent years and it will no longer be available for use after December 
23, 2016.
    Until the passage of the CWA in 1972, dredged material disposal was 
not a heavily regulated activity. Since 1972, open-water disposal in 
Long Island Sound has been subject to the sediment testing and 
alternatives analysis provisions of section 404 of the CWA. With 
passage of the Ambro Amendment in 1980 (which was further amended in 
1990), 33 U.S.C. 1416(f), dredged material disposal from all federal 
projects and non-federal projects generating more than 25,000 cubic 
yards of material became subject to the requirements of the MPRSA in 
addition to CWA section 404. These increasingly stringent regulatory 
requirements for dredged material disposal, combined with other CWA 
requirements that have reduced the level of pollutants being discharged 
into the Nation's waterways, have contributed to a steady, measurable 
improvement in the quality of material that has been allowed to be 
placed at the NLDS over the past 40 years.
    The NLDS has been used since the early 1980s pursuant to the 
USACE's short-term site selection authority under section 103(b) of the 
MPRSA (33 U.S.C. 1413(b)). In EPA's view, the close proximity of the 
NLDS to the ELDS, coupled with past use of the NLDS, generally makes 
the ELDS preferable for designation, as compared to more pristine sites 
that have either not been used or were used in the more distant past. 
See 40 CFR 228.5(e). Using a site in the vicinity of an existing site, 
rather than using sites in areas completely unaffected by dredged 
material in the past, will help to concentrate, rather than spread, the 
footprint of dredged material disposal on the seafloor of Long Island 
Sound.
    While the effects of placing suitable dredged material at a 
disposal site are primarily limited to short-term physical effects, 
such as burying benthic organisms in the location where the material is 
placed, EPA regards it to be preferable to concentrate such effects in 
particular areas and leave other areas untouched as much as possible.
    That said, EPA's evaluation of data and modeling results indicates 
that past disposal operations at the NLDS have not resulted in 
unacceptable or

[[Page 87837]]

unreasonable environmental degradation, and that there should be no 
such adverse effects in the future from the projected use of the ELDS. 
As part of this conclusion, discussed in detail in Section 5.7 of the 
FSEIS, EPA found that there should be no significant adverse cumulative 
environmental effects from using the ELDS on a long-term basis for 
dredged material disposal in compliance with all applicable regulatory 
requirements regarding sediment quality and site usage.
    viii. Interference With Shipping, Fishing, Recreation, Mineral 
Extraction, Desalination, Fish and Shellfish Culture, Areas of Special 
Scientific Importance and Other Legitimate Uses of the Ocean (40 CFR 
228.6(a)(8)).
    In evaluating whether disposal activity at the site could interfere 
with any of the uses described above, EPA considered both the effects 
of placing dredged material on the bottom of the Sound at the ELDS and 
any effects from vessel traffic associated with transporting the 
dredged material to the disposal site. From this evaluation, EPA 
concluded there would be no unacceptable or unreasonable adverse 
effects on the considerations noted in this criterion. Some of the 
factors listed in this criterion have already been discussed above due 
to the overlap of this criterion with aspects of certain other 
criteria. Nevertheless, EPA will address each point below.
    As previously discussed, and in response to public comment, the 
eastern boundary of the ELDS has been shifted westward to move it 
further from the submarine transit corridor into the Thames River. The 
eastern boundary of the ELDS is 0.467 nmi west of the western boundary 
of the New London Harbor approach lane and submarine transit corridor, 
which will further reduce any potential for conflicts between use of 
the disposal site and submarine and deep draft commercial marine 
traffic. Vessel traffic generated by disposal activity is expected to 
be similar to that which has occurred over the past 20-30 years, which 
has not interfered with other shipping activity. Moreover, research by 
EPA and the USACE concluded that after disposal at the ELDS, resulting 
water depths will be sufficient to permit navigation in the area 
without interference. By providing an open-water alternative for 
dredged material disposal in the absence of environmentally preferable, 
practicable alternatives, the sites are likely to improve and 
facilitate navigation in many of the harbors, bays, rivers and channels 
around eastern Long Island Sound.
    EPA also carefully evaluated the potential effects on commercial 
and recreational fishing for both finfish and shellfish (including 
lobster) of designating the ELDS for dredged material disposal, and 
concluded that there would be no unreasonable or unacceptable adverse 
effects. As discussed above in relation to other site evaluation 
criteria, dredged material disposal will have only short-term, 
incidental, and insignificant effects on organisms in the disposal 
sites and no appreciable effects beyond the sites. Indeed, since past 
dredged material disposal, including at the nearby NLDS, has been 
determined to have no significant adverse effects on fishing, the 
similar projected levels of future disposal activities at the 
designated site also are not expected to have any significant adverse 
effects.
    There are four main reasons that EPA concluded that no unacceptable 
adverse effects would occur from placing dredged material at the ELDS. 
First, as discussed above, any contaminants in material permitted for 
disposal--having satisfied the dredged material criteria in the 
regulations that restrict any toxicity and bioaccumulation--will not 
have any significant adverse effects on fish, shellfish, or other 
aquatic organisms. Moreover, because the ELDS is a containment area, 
dredged material disposed at the site is expected to remain there.
    Second, as also discussed above, the disposal site does not 
encompass any especially important, sensitive, or limited habitat for 
the Sound's fish and shellfish, such as key spawning or nursery habitat 
for species of finfish. That said, as explained farther above, EPA has 
redrawn the boundary of the ELDS to avoid a rocky area that could 
provide particularly good habitat for fish, even though it is not an 
area that has received any special designation for such purposes.
    Third, while EPA found that a small number of demersal fish (e.g., 
winter flounder), shellfish (e.g., clams and lobsters), benthic 
organisms (e.g., worms), and zooplankton and phytoplankton could be 
lost due to the physical effects of disposal (e.g., burial of organisms 
on the seafloor by dredged material and entrainment of plankton in the 
water column by dredged material upon its release from a disposal 
barge), EPA also determined that these minor, temporary adverse effects 
would be neither unreasonable nor unacceptable. This determination was 
based on EPA's conclusion that the numbers of organisms potentially 
affected represent only a minuscule percentage of those in eastern Long 
Island Sound, and on DAMOS monitoring that consistently documents the 
rapid recovery of the benthic community in an area that has received 
dredged material. In addition, any physical effects will be further 
limited by the relatively few months in which disposal activities could 
be permitted by the environmental window (or time-of-year) 
restrictions.
    Fourth, EPA has determined that vessel traffic associated with 
dredged material disposal will not have any unreasonable or 
unacceptable adverse effects on fishing. As explained above, 
environmental window restrictions will limit any disposal to the period 
between October 1 and April 30, and often to fewer months depending on 
species-specific restrictions for each dredging project, each year. 
Moreover, due to the seasonal nature of recreational boating and 
commercial shipping, there is generally far less vessel traffic in the 
colder-weather months when disposal would occur.
    There currently are no mineral extraction activities or 
desalinization facilities in the eastern Long Island Sound region with 
which disposal activity could potentially interfere. Energy 
transmission pipelines and cables are located near the site, but none 
are within the boundaries of the ELDS.
    No finfish aquaculture currently takes place in Long Island Sound, 
and the only form of shellfish culture in the area, oyster production, 
occurs in nearshore locations far enough away from the ELDS that it 
should not be impacted in any manner by this proposed action.
    Finally, the ELDS is not in an area of special scientific 
importance; in fact, areas with such characteristics were screened out 
very early in the alternatives screening process. Accordingly, 
depositing dredged material at the ELDS will not interfere with any of 
the activities described in this criterion or other legitimate uses of 
Long Island Sound.
    ix. The Existing Water Quality and Ecology of the Sites as 
Determined by Available Data or by Trend Assessment or Baseline Surveys 
(40 CFR 228.6(a)(9)).
    EPA's analysis of existing water quality and ecological conditions 
at the ELDS in light of available data, trend assessments and baseline 
surveys indicates that disposal at the site will not cause unacceptable 
or unreasonable adverse environmental effects. Considerations related 
to water quality and various ecological factors (e.g., sediment 
quality, benthic organisms, fish and shellfish) have already been 
discussed above in relation to other site selection criteria, and are 
discussed in

[[Page 87838]]

detail in the FSEIS and supporting documents. In considering this 
criterion, EPA took into account existing water quality and sediment 
quality data collected at the disposal sites, including from the 
USACE's DAMOS site monitoring program, as well as water quality data 
from the Connecticut Department of Energy and Environmental 
Protection's (CTDEEP) Long Island Sound Water Quality Monitoring 
Program. As discussed herein, EPA has determined that placement of 
suitable dredged material at the ELDS should not cause any significant 
adverse environmental effects to water quality or to ecological 
conditions at the disposal sites. EPA and the USACE have prepared a 
SMMP for the ELDS to guide future monitoring of site conditions (FSEIS 
Appendix I).
    x. Potentiality for the Development or Recruitment of Nuisance 
Species in the Disposal Sites (40 CFR 228.6(a)(10)).
    Monitoring at disposal sites in Long Island Sound over the past 35 
years has shown no recruitment of nuisance (invasive, non-native) 
species that are attributable to dredged material disposal. There is no 
reason to expect this to change, but monitoring will continue to look 
for any such impacts. EPA and the USACE will continue to monitor the 
ELDS and other EPA-designated sites under their respective SMMPs, which 
include a ``management focus'' on ``changes in composition and numbers 
of pelagic, demersal, or benthic biota at or near the disposal sites'' 
(Section 6.1.5 of the SMMP, Appendix I of the FSEIS).
    xi. Existence at or in Close Proximity to the Sites of Any 
Significant Natural or Cultural Feature of Historical Importance (40 
CFR 228.6(a)(11)).
    There are no natural or cultural features of historical importance 
located within or in close proximity to the ELDS. There is, however, 
one shipwreck located within the ELDS near the southeastern corner the 
site, just inside its eastern boundary. As discussed in the FSEIS, a 
review of submerged vessel reports in the NOAA and Connecticut State 
Historic Preservation Office (CT SHPO) shipwreck databases indicates 
that there is one charted shipwreck located within the ELDS, near its 
eastern boundary. This wreck also was identified by EPA's side-scan 
sonar survey. This shipwreck is not, however, considered to be of 
historical importance.
    EPA coordinated with Indian tribes in Connecticut, Rhode Island, 
and New York throughout the development of the FSEIS, and the tribes 
did not identify any important natural, cultural, spiritual, or 
historical features or areas within the ELDS. At the same time, the 
Shinnecock Indian Nation commented to EPA that investigations are 
underway to determine whether ``submerged paleo cultural landscapes'' 
might exist that would indicate that the tribe's ancestors lived 
farther offshore than currently understood. In this regard, the tribe 
expresses concern that dredged material placement at an open-water site 
could further bury any evidence of such sites. As discussed above and 
in the FSEIS, EPA is currently not aware of any evidence suggesting 
that such submerged artifacts may exist at the ELDS. If such evidence 
emerges in the future, EPA will further consult with the Shinnecock 
Indian Nation about whether any adjustments to the site boundaries, 
site management requirements, or site use restrictions would be 
appropriate.
    In summary, one shipwreck is located just inside the eastern 
boundary of the ELDS, but the wreck is not considered to be of 
historical significance. Nevertheless, any impacts to that wreck from 
dredged material disposal will be minimized by establishing a 164-foot 
(50 m) avoidance buffer surrounding the shipwreck as well as 
appropriate site management, which accommodates both the minimum buffer 
of 30 m recommended by the CT SHPO, and the 40-50 m minimum buffer 
applied by the NY OPRHP.
3. Disposal Site Management (40 CFR 228.3, 228.7, 228.8 and 228.9)
    The ELDS will be subject to specific management requirements to 
ensure that unacceptable adverse environmental impacts do not occur. 
Examples of these requirements include: (1) Restricting the use of the 
sites to the disposal of dredged material that has been determined to 
be suitable for ocean disposal following MPRSA and/or CWA requirements 
in accordance with the provisions of MPRSA section 106(f), as well as 
to material from waters in the vicinity of the disposal sites; (2) 
monitoring the disposal sites and their associated reference sites, 
which are not used for dredged material disposal, to assess potential 
impacts to the marine environment by providing a point of comparison to 
an area unaffected by dredged material disposal; and (3) retaining the 
right to limit or close these sites to further disposal activity if 
monitoring or other information reveals evidence of unacceptable 
adverse impacts to the marine environment. As mentioned above, dredged 
material disposal will not be allowed when weather and sea conditions 
could interfere with safe, effective placement of any dredged material 
at a designated site. In addition, although not technically a site 
management requirement, disposal activity at the sites will generally 
be limited to the period between October 1 and April 30, but often 
less, depending on environmental windows, to protect certain species, 
as described above.
    EPA and the USACE have managed and monitored dredged material 
disposal activities at disposal sites in Long Island Sound since the 
early 1980s. Site monitoring has been conducted under the USACE's DAMOS 
disposal site monitoring program. In accordance with the requirements 
of MPRSA section 102(c) and 40 CFR 228.3, EPA and the USACE have 
developed a SMMP for the ELDS, which is incorporated as Appendix I of 
the FSEIS. The SMMP describes in detail the specific management and 
monitoring requirements for the ELDS.

B. National Environmental Policy Act

    As EPA explained in the preamble to the Proposed Rule, 81 FR 24760 
(April 27, 2016), EPA disposal site designation evaluations conducted 
under the MPRSA have been determined to be ``functionally equivalent'' 
to NEPA reviews and, as a result, are not subject to NEPA analysis 
requirements as a matter of law. Nevertheless, as a matter of policy, 
EPA voluntarily uses NEPA procedures when evaluating the potential 
designation of ocean dumping sites. See 63 FR 58045 (Notice of Policy 
and Procedures for Voluntary Preparation of National Environmental 
Policy Act Documents, October 29, 1998).
    EPA is the agency authorized by the MPRSA to designate dredged 
material disposal sites and is responsible for the site designation 
decision and the NEPA analysis supporting it. As discussed in detail in 
the preamble to the Proposed Rule, 81 FR 24761, EPA used a third-party 
contracting approach so that funding from the state of Connecticut 
could be applied to the support the site designation studies and the 
development of the FSEIS. See 40 CFR 1506.5. Because EPA is ultimately 
responsible for the FSEIS, the Agency worked closely with the state of 
Connecticut to select the contractors and then maintained close 
involvement with production of the SEIS and control over its analyses 
and conclusions. The U.S. Navy also contributed to the site designation 
process by funding

[[Page 87839]]

biological and other environmental studies in support of the FSEIS. The 
Navy, with extensive input from EPA and CTDEEP, used its contractor 
Tetra Tech based on its expertise in biological resources studies and 
risk assessment.
    The USACE was a ``cooperating agency'' in the development of the 
FSEIS because of its knowledge concerning the region's dredging needs, 
its technical expertise in monitoring dredged material disposal sites 
and assessing the environmental effects of dredging and dredged 
material disposal, its history in the regulation of dredged material 
disposal in Long Island Sound and elsewhere, and its ongoing legal role 
in regulating dredging, dredged material disposal, and the management 
and monitoring of disposal sites. Other cooperating agencies were NMFS, 
CTDEEP, CT DOT, New York Department of State (NYSDOS), New York 
Department of Environmental Conservation (NYSDEC), and Rhode Island 
Coastal Resources Management Council (RICRMC). To take advantage of 
expertise of other entities, and to promote strong inter-agency 
communications, EPA also coordinated with the U.S. Fish and Wildlife 
Service; the Mashantucket (Western) Pequot Tribal Nation, Mohegan 
Tribe, Eastern Pequot Tribal Nation, and Paucatuck Eastern Pequot 
Indians (in Connecticut); the Narragansett Indian Tribe (in Rhode 
Island); the Shinnecock Indian Nation (in New York); and, as previously 
discussed, the CT SHPO and NY OPRHP. Throughout the SEIS development 
process, EPA communicated with the cooperating federal and state 
agencies and tribes to keep them apprised of progress on the project 
and to solicit input.
    Consistent with its voluntary NEPA policy, EPA has undertaken NEPA 
analyses as part of its decision-making process for the designation of 
the ELDS. EPA published a Notice of Intent to prepare an EIS on October 
16, 2012, invited other federal and state agencies to participate as 
cooperating or coordinating agencies, defined a ``Zone of Siting 
Feasibility'' in cooperation with the cooperating agencies, held public 
meetings regarding the scope of issues to be addressed by the SEIS, and 
published a DSEIS for public review and comment. The DSEIS, entitled, 
``Draft Supplemental Environmental Impact Statement for the Designation 
of Dredged Material Disposal Site(s) in Eastern Long Island Sound, 
Connecticut and New York,'' assesses and compares the effects of 
designating alternative dredged material disposal sites in eastern Long 
Island Sound. EPA's SEIS also evaluated various alternative approaches 
to managing dredging needs, including the ``no action'' alternative 
(i.e., the alternative of not designating any open-water disposal 
sites). See 40 CFR 1502.14. The DSEIS was considered supplemental 
because it updated and built upon the analyses that were conducted for 
the 2005 Long Island Sound Environmental Impact Statement that 
supported the designation of the Central and Western Long Island Sound 
disposal sites.
    EPA released the DSEIS for a 60-day public comment period on April 
27, 2016, and subsequently extended the comment period for 21 days, 
until July 18, 2016. EPA held four public hearings during the comment 
period: Two (afternoon and evening) on May 24 in Riverhead and 
Mattituck, NY, and two on May 25 in Groton, CT. As previously noted, 
EPA received extensive public comment, both in support of, and in 
opposition to, EPA's proposed action as described in the DSEIS and 
proposed rule.
    After considering the public comments received, EPA conducted 
additional analysis and has now published an FSEIS in conjunction with, 
and as part of the support for, publication of this Final Rule 
designating the ELDS. EPA's FSEIS includes additional discussion and 
analysis pertaining to EPA's final site designation, including 
discussion and analysis supporting EPA's decision to adjust the 
boundaries of the ELDS as they were delineated in the Proposed Rule. 
Appendix J of the FSEIS includes all the public comments EPA received 
on the DSEIS and Proposed Rule, and provides a summary of those 
comments and EPA responses to those comments. EPA also has summarized 
the more significant comments and EPA's responses to them in Section VI 
of the preamble to this Final Rule.

C. Coastal Zone Management Act

    Based on the evaluations presented in the FSEIS and supporting 
documents, and a review of the federally approved coastal zone programs 
and policies of Connecticut, New York, and Rhode Island, EPA determined 
that designation of the ELDS for open-water dredged material disposal 
under the MPRSA will be fully consistent with, or consistent to the 
maximum extent practicable with, the enforceable policies of the 
approved coastal zone management programs of the three states. EPA 
provided a written determination to that effect to the NYSDOS (on July 
20, 2016), to CTDEEP (on July 29, 2016), and to the RICRMC (on July 28, 
2016), respectively.
    The specific policies of each state's coastal zone management 
program are discussed in detail in the determinations noted above, but 
in a general sense, there are several broad reasons why designation of 
the ELDS is consistent with the applicable, enforceable policies of the 
three states' coastal zone programs. First, the designation is not 
expected to cause any significant adverse impacts to the marine 
environment, coastal resources, or uses of the coastal zone. Indeed, 
EPA expects the designation to benefit coastal uses involving 
navigation and berthing of vessels by facilitating needed dredging, and 
to benefit the environment by limiting any open-water dredged material 
disposal to a small number of environmentally appropriate sites 
designated by EPA, rather than at a potential proliferation of USACE-
selected sites. Second, designation of the site does not actually 
authorize the disposal of any dredged material at the sites. Any 
proposal to dispose dredged material from a particular project at a 
designated site will be subject to case-specific evaluation and be 
allowed only if: (a) The material satisfies the sediment quality 
requirements of the MPRSA and the CWA; (b) no practicable alternative 
method of management with less adverse environmental impact is 
available; and (c) the disposal complies with the site restrictions for 
the site. These restrictions are described and discussed in the next 
section of the preamble and are designed to reduce or eliminate dredged 
material disposal in Long Island Sound. Third, the designated disposal 
site will be managed and monitored pursuant to a SMMP and if adverse 
impacts are identified, use of the sites will be modified to reduce or 
eliminate those impacts. Such modification could further restrict, or 
even terminate, use of the sites, if appropriate. See 40 CFR 228.3, 
228.11.
    On August 9, 2016, the RICRMC sent EPA a letter concurring with 
EPA's CZMA determination for Rhode Island. Similarly, on September 26, 
2016, CTDEEP, which administers Connecticut's coastal zone management 
program, sent EPA a letter concurring with EPA's CZMA determination for 
Connecticut.
    On October 3, 2016, EPA received a letter from the NYSDOS objecting 
to EPA's designation of the ELDS on the basis of its view that either 
EPA had provided insufficient information to support a CZMA consistency 
determination or, based on the information provided, the action was 
inconsistent with the enforceable policies of New York's Coastal 
Management Program (CMP).

[[Page 87840]]

    After giving careful consideration to the issues raised by NYSDOS, 
EPA continues to hold the view that designation of the ELDS, as 
specified herein, is consistent to the maximum extent practicable with 
the enforceable policies of New York's CMP. EPA also believes that the 
site use restrictions that have been made applicable to the ELDS 
provide enhanced assurance of such consistency.

D. Endangered Species Act

    The ESA requires consultation with NMFS and/or USFWS to adequately 
address potential impacts to threatened and endangered species that may 
occur at the proposed dredged material disposal site from any proposal 
to dispose dredged material. EPA initiated consultations regarding the 
proposed ELDS with both the NMFS and USFWS, concurrent with the public 
comment period for the DSEIS. This consultation process is fully 
documented in the FSEIS. EPA provided the NMFS and USFWS with its 
conclusion that the proposed designation of the ELDS was not likely to 
adversely affect any federally listed endangered or threatened species, 
or designated critical habitat of any such species.
    On August 11, 2016, USFWS sent an email message concurring with 
EPA's proposed action, stating that the designation of the ELDS, ``will 
have no effect on federally listed species under the jurisdiction of 
the U.S. Fish and Wildlife Service and that any effects from activities 
associated with the disposal of dredged material at this location will 
be consulted individually under section 7 of the ESA,'' and that, 
``(f)urther consultation . . . is not necessary unless there is new 
information relative to listed species presence or there are changes to 
the project.''
    On August 12, 2016, NMFS also concurred with EPA's ``conclusion 
that the proposed action is not likely to adversely affect the ESA-
listed species under our jurisdiction and will have no effect on 
critical habitat since the action does not overlap with any proposed/
designation (sic) critical habitat under our jurisdiction,'' and that, 
``. . . no further consultation . . . is required.'' Copies of all 
consultation and coordination correspondence are provided in Appendices 
A-11 of the FSEIS.

E. Magnuson-Stevens Fishery Conservation and Management Act

    The MSFCMA requires federal agencies to coordinate with NMFS 
regarding any action they authorize, fund, or undertake that may 
adversely affect essential fish habitat (EFH). EPA initiated 
coordination with NMFS on June 30, 2016, by submitting an EFH 
assessment in compliance with the Act. This coordination addressed the 
potential for the designation of any of the alternative disposal sites 
being evaluated to adversely affect EFH. In a letter dated August 12, 
2016, NMFS concurred with EPA's determination that the designation of 
the ELDS would not adversely affect EFH. The letter stated, in part, 
``We concur with your determination that by excluding the boulder areas 
located in the south and northwest corners of the proposed disposal 
site, and with the incorporation of your specific management practices 
that include a 200-foot buffer zone from the boulder areas, the 
proposed designation will result in no more than minimal adverse 
impacts to designated EFH.'' The coordination process is fully 
documented in the FSEIS.

IX. Restrictions

    As described in the Proposed Rule, EPA is restricting the use of 
the ELDS in the same manner that it has restricted use of the CLDS and 
WLDS. On July 7, 2016, EPA published in the Federal Register (81 FR 
44220) a final rule to amend the 2005 rule that designated the CLDS and 
WLDS, to establish new restrictions on the use of those sites to 
support the goal of reducing or eliminating open-water disposal in Long 
Island Sound. The restrictions include standards and procedures to 
promote the development and use of practicable alternatives to open-
water disposal, including establishment of an interagency ``Steering 
Committee'' and ``Regional Dredging Team'' that will play important 
roles in implementation of the rule. The site use restrictions for the 
CLDS are detailed in 40 CFR 228.15(b)(4)(vi) and are incorporated for 
the WLDS by the cross-references in 40 CFR 228.15(b)(4)(vi) and 
(b)(5)(vi). Similarly, EPA is applying to the ELDS the same 
restrictions as are applied to the CLDS and WLDS by including simple 
cross-references to those restrictions in the new ELDS regulations at 
40 CFR 228.15(b)(4) and (b)(6)(vi).
    The restrictions incorporate standards and procedures for the use 
of the Eastern, Central and Western disposal sites consistent with the 
recommendations of the Long Island Sound DMMP. The DMMP identifies a 
wide range of alternatives to open-water disposal and recommends 
standards and procedures to help determine whether and which of these 
alternatives should be pursued for particular dredging projects. The 
DMMP addresses dredging and dredged material management issues for the 
entire Long Island Sound region, including the eastern portion of the 
Sound. Therefore, EPA concludes that it makes sense to apply site use 
restrictions based on the DMMP to the ELDS as well as to the CLDS and 
WLDS. EPA also received public comments in support of applying the site 
use restrictions to all Long Island Sound disposal sites.
    The standards included in the restrictions are described in the 
Proposed Rule and address the disposition of sandy material, suitable 
fine-grained material and unsuitable fine-grained materials. See 81 FR 
24764. See also 81 FR 44229 (40 CFR 228.15(b)(4)(vi)(C)(3)(i)-(iii)). 
Also included are expectations of continued federal, state and local 
efforts at source reduction (i.e., reducing sediment entering 
waterways). EPA did not receive any comments on the standards and has 
not modified them in the Final Rule.
    The restrictions augment the recommended procedures in the DMMP, 
and in the Proposed Rule, by establishing a Long Island Sound Dredging 
Steering Committee (Steering Committee), consisting of high-level 
representatives from the states of Connecticut and New York, EPA, 
USACE, and, as appropriate other federal and state agencies. Such other 
parties could include the National Oceanic and Atmospheric 
Administration's (NOAA) National Marine Fisheries Service (NMFS), which 
had a seat on the previous Steering Committee, and the state of Rhode 
Island, which had a seat on the previous Long Island Sound Regional 
Dredging Team (LIS RDT), and may have more interest now that the LIS 
RDT's geographic scope includes eastern Long Island Sound. The Steering 
Committee will provide policy-level direction to the Long Island Sound 
Regional Dredging Team (RDT). The Steering Committee is charged with: 
Establishing a baseline for the volume and percentage of dredged 
material being beneficially used and placed at the open-water sites; 
establishing a reasonable and practicable series of stepped objectives, 
including timeframes, to increase the percentage of beneficially used 
material while reducing the percentage and amount being disposed in 
open water, and while recognizing that the amounts of dredged material 
generated by the dredging program will naturally fluctuate from year to 
year; and develop accurate methods to track the placement of dredged 
material, with due consideration for annual fluctuations. The stepped 
objectives should

[[Page 87841]]

incorporate an adaptive management approach while striving for 
continuous improvement.
    The restrictions provide that when tracking progress, the Steering 
Committee should recognize that exceptional circumstances may result in 
delays meeting an objective. Exceptional circumstances should be 
infrequent, irregular and unpredictable. It is expected that each of 
the member agencies will commit the necessary resources to support the 
Long Island Sound RDT and Steering Committee's work, including the 
collection of data necessary to support establishing the baseline and 
tracking and reporting on the future disposition of dredged material.
    The restrictions also provide that the Steering Committee may 
utilize the RDT, as appropriate, to carry out the tasks assigned to it. 
The Steering Committee, with the support of the RDT, will guide a 
concerted effort to encourage greater use of beneficial use 
alternatives, including piloting alternatives, identifying possible 
resources and eliminating regulatory barriers as appropriate.
    As described in the Proposed Rule, see 81 FR 24765, the 
restrictions establish the Long Island Sound RDT. See also 81 FR 44229-
44230 (40 CFR 228.15(b)(4)(vi)(E) and (F)). The purpose of the RDT 
reflects its role and relationship to the Steering Committee. The 
purpose of the RDT is to: (1) Review dredging projects and report to 
USACE on its review within 30 days of receipt of project information; 
(2) assist the Steering Committee in the tasks described above; (3) 
serve as a forum for continuing exploration of new beneficial use 
alternatives, matching available beneficial use alternatives with 
dredging projects; (4) exploring cost-sharing opportunities and 
promoting opportunities for beneficial use of clean, parent marine 
sediments (that underlie surficial sediments and are not exposed to 
pollution) often generated in the development of Confined Aquatic 
Disposal cells; and (5) assist the USACE and EPA in continuing long-
term efforts to monitor dredging impacts in Long Island Sound. The 
membership of the RDT will comprise representatives from the states of 
Connecticut and New York, EPA, USACE, and, as appropriate, other 
federal and state agencies. State participation on the RDT is 
voluntary. The geographic scope of the RDT, as well as details for the 
structure and process of the RDT, are unchanged from the Proposed Rule.
    Finally, the restrictions provide that if the volume of open-water 
disposal of dredged material, as measured in 2026, has not declined or 
been maintained over the prior ten years, then any party may petition 
EPA to conduct a rulemaking to amend the restrictions of the use of the 
sites.

X. Supporting Documents

    1. EPA Region 1/USACE NAE. 2005. Response to Comments on the 
Final Environmental Impact Statement for the Designation of Dredged 
Material Disposal Sites in Central and Western Long Island Sound, 
Connecticut and New York. U.S. Environmental Protection Agency, 
Region 1, Boston, MA and U.S. Army Corps of Engineers, New England 
District, Concord, MA. April 2005.
    2. EPA Region 1. 2005. Memorandum to the File Responding to the 
Letter from the New York Department of State Objecting to EPA's 
Federal Consistency Determination for the Dredged Material Disposal 
Site Designations. U.S. Environmental Protection Agency, Region 1, 
Boston, MA. May 2005.
    3. EPA Region 1/USACE NAE. 2004. Final Environmental Impact 
Statement for the Designation of Dredged Material Disposal Sites in 
Central and Western Long Island Sound, Connecticut and New York. 
U.S. Environmental Protection Agency, Region 1, Boston, MA and U.S. 
Army Corps of Engineers, New England District, Concord, MA. March 
2004.
    4. EPA Region 1/USACE NAE. 2004. Regional Implementation Manual 
for the Evaluation of Dredged Material Proposed for Disposal in New 
England Waters. U.S. Environmental Protection Agency, Region 1, 
Boston, MA, and U.S. Army Corps of Engineers, New England District, 
Concord, MA. April 2004.
    5. EPA Region 2/USACE NAN. 1992. Guidance for Performing Tests 
on Dredged Material Proposed for Ocean Disposal. U.S. Environmental 
Protection Agency, Region 2, New York, NY and U.S. Army Corps of 
Engineers, New York District, New York, NY. Draft Release. December 
1992.
    6. EPA/USACE. 1991. Evaluation of Dredged Material Proposed for 
Ocean Disposal Testing Manual. U.S. Environmental Protection Agency, 
Washington, DC, and U.S. Army Corps of Engineers, Washington, DC. 
EPA-503/8-91/001. February 1991.
    7. Long Island Sound Study. 2015. Comprehensive Conservation and 
Management Plan for Long Island Sound. Long Island Sound Management 
Conference. September 2015.
    8. NYSDEC and CTDEP. 2000. A total maximum daily load analysis 
to achieve water quality standards for dissolved oxygen in Long 
Island Sound. Prepared in conformance with section 303(d) of the 
Clean Water Act and the Long Island Sound Study. New York State 
Department of Environmental Conservation, Albany, NY and Connecticut 
Department of Environmental Protection, Hartford, CT. December 2000.
    9. USACE NAE. 2016. Final Long Island Sound Dredged Material 
Management Plan and Final Programmatic Environmental Impact 
Statement--Connecticut, Rhode Island and New York. U.S. Army Corps 
of Engineers, New England District. December 2015.
    10. EPA Region 1. 2016. Draft Supplemental Environmental Impact 
Statement for the Designation of Dredged Material Disposal Site(s) 
in Eastern Long Island Sound, Connecticut and New York. U.S. 
Environmental Protection Agency, Region 1, Boston, MA. April 2016.
    11. USACE NAE. 2016a. Memorandum from USACE New England District 
to EPA Region 1 with updated dredging and disposal capacity needs 
for Eastern Long Island Sound. U.S. Army Corps of Engineers, New 
England District. September 2016.
    12. USACE NAE. 2016b. Memorandum from USACE New England District 
to EPA Region 1 with detailed cost estimates for dredged material 
disposal at different disposal sites in Long Island Sound. U.S. Army 
Corps of Engineers, New England District. September 2016.

XI. Statutory and Executive Order Reviews

1. Executive Order 12866: Regulatory Planning and Review and Executive 
Order 13563: Improving Regulation and Regulatory Review

    This action is not a significant regulatory action, as defined in 
the Executive Order, and therefore was not submitted to the Office of 
Management and Budget (OMB) for review.

2. Paperwork Reduction Act (PRA)

    This action does not impose an information collection burden under 
the PRA because it would not require persons to obtain, maintain, 
retain, report or publicly disclose information to or for a federal 
agency.

3. Regulatory Flexibility Act (RFA)

    This action will not have a significant economic impact on a 
substantial number of small entities under the Regulatory Flexibility 
Act (RFA). The amended restrictions in this rule are only relevant for 
dredged material disposal projects subject to the MPRSA. Non-federal 
projects involving 25,000 cubic yards or less of material are not 
subject to the MPRSA and, instead, are regulated under CWA section 404. 
This action will, therefore, have no effect on such projects. ``Small 
entities'' under the RFA are most likely to be involved with smaller 
projects not covered by the MPRSA. Therefore, EPA does not believe a 
substantial number of small entities will be affected by today's rule. 
Furthermore, the amendments to the restrictions also will not have 
significant economic impacts on a substantial number of small entities 
because they will primarily create requirements to be followed by 
regulatory agencies rather than small entities, and will create 
requirements

[[Page 87842]]

(i.e., the standards and procedures) intended to help ensure 
satisfaction of the existing regulatory requirement (see 40 CFR 227.16) 
that practicable alternatives to the ocean dumping of dredged material 
be utilized.

4. Unfunded Mandates Reform Act (UMRA)

    This action does not contain any unfunded mandate as described in 
UMRA, 2 U.S.C. 1531-1538, and does not significantly or uniquely affect 
small governments. The action imposes no enforceable duty on any state, 
local or tribal governments or the private sector.

5. Executive Order 13132: Federalism

    This action does not have federalism implications. It will not have 
substantial direct effects 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. Through 
the Steering Committee and RDT process, however, this action will 
provide a vehicle for facilitating the interaction and communication of 
interested federal and state agencies concerned with regulating dredged 
material disposal in Long Island Sound.

6. Executive Order 13175: Consultation and Coordination With Indian 
Tribal Governments

    This action does not have tribal implications as specified in 
Executive Order 13175 because the proposed restrictions will not have 
substantial direct effects on Indian tribes, on the relationship 
between the federal government and Indian tribes, or the distribution 
of power and responsibilities between the federal government and Indian 
tribes. EPA coordinated with all Indian Tribal Governments in the 
vicinity of the proposed action and consulted with the Shinnecock 
Tribal Nation in making this determination.

7. Executive Order 13045: Protection of Children From Environmental 
Health Risks and Safety Risks

    This action is not subject to Executive Order 13045 because it is 
not economically significant as defined in Executive Order 12866, and 
because the EPA does not believe the environmental health or safety 
risks addressed by this action present a disproportionate risk to 
children.

8. Executive Order 13211: Actions Concerning Regulations That 
Significantly Affect Energy Supply, Distribution or Use

    This action is not subject to Executive Order 13211, because it is 
not a significant regulatory action under Executive Order 12866.

9. National Technology Transfer and Advancement Act (NTTAA)

    This rulemaking does not involve technical standards.

10. Executive Order 12898: Federal Actions To Address Environmental 
Justice in Minority Populations and Low-Income Populations

    The EPA concludes that this action will not have a disproportionate 
adverse human health or environmental effect on minority, low-income, 
or indigenous populations.

11. Executive Order 13158: Marine Protected Areas

    Executive Order 13158 (65 FR 34909, May 31, 2000) requires EPA to 
``expeditiously propose new science-based regulations, as necessary, to 
ensure appropriate levels of protection for the marine environment.'' 
EPA may take action to enhance or expand protection of existing marine 
protected areas and to establish or recommend, as appropriate, new 
marine protected areas. The purpose of the Executive Order is to 
protect the significant natural and cultural resources within the 
marine environment, which means, ``those areas of coastal and ocean 
waters, the Great Lakes and their connecting waters, and submerged 
lands thereunder, over which the United States exercises jurisdiction, 
consistent with international law.''
    The EPA expects that this Final Rule will afford additional 
protection to the waters of Long Island Sound and organisms that 
inhabit them. Building on the existing protections of the MPRSA and the 
ocean dumping regulations, the rule is designed to promote the 
reduction or elimination of open-water disposal of dredged material in 
Long Island Sound, and, at the same time, to ensure that any such 
disposal that occurs will be conducted in an environmentally sound 
manner.

12. Executive Order 13547: Stewardship of the Ocean, Our Coasts, and 
the Great Lakes

    Section 6(a)(i) of Executive Order 13547, (75 FR 43023, July 19, 
2010) requires, among other things, EPA and certain other agencies ``. 
. . to the fullest extent consistent with applicable law [to] . . . 
take such action as necessary to implement the policy set forth in 
section 2 of this order and the stewardship principles and national 
priority objectives as set forth in the Final Recommendations and 
subsequent guidance from the Council.'' The policies in section 2 of 
Executive Order 13547 include, among other things, the following: ``. . 
. it is the policy of the United States to: (i) Protect, maintain, and 
restore the health and biological diversity of ocean, coastal, and 
Great Lakes ecosystems and resources; [and] (ii) improve the resiliency 
of ocean, coastal, and Great Lakes ecosystems, communities, and 
economies . . . .'' As with Executive Order 13158 (Marine Protected 
Areas), the overall purpose of the Executive Order is to promote 
protection of ocean and coastal environmental resources.
    The EPA expects that this Final Rule will afford additional 
protection to the waters of Long Island Sound and the organisms that 
inhabit them. Building on the existing protections of the MPRSA and the 
ocean dumping regulations, the rule is designed to promote the 
reduction or elimination of open-water disposal of dredged material in 
Long Island Sound even as it facilitates necessary dredging.

13. Congressional Review Act

    The Congressional Review Act, 5 U.S.C. 801 et seq., as added by the 
Small Business Regulatory Enforcement Fairness Act of 1996, generally 
provides that before a rule may take effect, the agency promulgating 
the rule must submit a rule report, which includes a copy of the rule, 
to each House of the Congress and to the Comptroller General of the 
United States. EPA will submit a report containing this rule and other 
required information to the U.S. Senate, the U.S. House of 
Representatives, and the Comptroller General of the United States prior 
to publication of the rule in the Federal Register. A ``major rule'' 
cannot take effect until 60 days after it is published in the Federal 
Register. This action is not a major rule as defined by 5 U.S.C. 
804(2). This rule will be effective 30 days after date of publication.

List of Subjects in 40 CFR Part 228

    Environmental protection, Water pollution control.

    Dated: November 4, 2016.
H. Curtis Spalding,
Regional Administrator, EPA Region 1--New England.

    For the reasons stated in the preamble, title 40, chapter I, of the 
Code of Federal Regulations is amended as set forth below.

[[Page 87843]]

PART 228--CRITERIA FOR THE MANAGEMENT OF DISPOSAL SITES FOR OCEAN 
DUMPING

0
1. The authority citation for part 228 continues to read as follows:

    Authority:  33 U.S.C. 1412 and 1418.

0
2. Section 228.15 is amended by revising paragraph (b)(4)(vi) 
introductory text and adding paragraph (b)(6) to read as follows:


Sec.  228.15   Dumping sites designated on a final basis.

* * * * *
    (b) * * *
    (4) * * *
    (vi) Restrictions: The designation in this paragraph (b)(4) sets 
forth conditions for the use of the Central Long Island Sound (CLDS), 
Western Long Island Sound (WLDS) and Eastern Long Island Sound (ELDS) 
Dredged Material Disposal Sites. These conditions apply to all disposal 
subject to the MPRSA, namely, all federal projects and nonfederal 
projects greater than 25,000 cubic yards. All references to 
``permittees'' shall be deemed to include the U.S. Army Corps of 
Engineers (USACE) when it is authorizing its own dredged material 
disposal from a USACE dredging project. The conditions for this 
designation are as follows:
* * * * *
    (6) Eastern Long Island Sound Dredged Material Disposal Site 
(ELDS).
    (i) Location: Corner Coordinates (NAD83) 41[deg]15.81' N., 
72[deg]05.23' W.; 41[deg]16.81' N., 72[deg]05.23' W.; 41[deg]16.81' N., 
72[deg]07.22' W.; 41[deg]15.97' N., 72[deg]07.22' W.; 41[deg]15.81' N., 
72[deg]06.58' W.
    (ii) Size: A 1 x 1.5 nautical mile irregularly-shaped polygon, with 
an area of 1.3 square nautical miles (nmi\2\) due to the exclusion of 
bedrock areas. North-central bedrock area corner coordinates (NAD83) 
are: 41[deg]16.34' N., 72[deg]05.89' W.; 41[deg]16.81' N., 
72[deg]05.89' W.; 41[deg]16.81' N., 72[deg]06.44' W.; 41[deg]16.22' N., 
72[deg]06.11' W.
    (iii) Depth: Ranges from 59 to 100 feet (18 m to 30 m).
    (iv) Primary use: Dredged material disposal.
    (v) Period of use: Continuing use.
    (vi) Restrictions: See paragraphs (b)(4)(vi)(A) through (N) of this 
section.
* * * * *
[FR Doc. 2016-27546 Filed 12-5-16; 8:45 am]
 BILLING CODE 6560-50-P



                                                87820            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                obligations under section 181(b)(2)(A) of               Executive Order 13175 (65 FR 67249,                       Authority: 42 U.S.C. 7401 et seq.
                                                the CAA and the provisions of the SIP                   November 9, 2000), because the SIP is
                                                Requirements Rule (40 CFR 51.1103),                     not approved to apply in Indian country               Subpart NN—Pennsylvania
                                                that the Pittsburgh Area attained the                   located in the state, and EPA notes that              ■ 2. In § 52.2056, paragraph (n) is added
                                                2008 ozone NAAQS by the applicable                      it will not impose substantial direct                 to read as follows:
                                                attainment date of July 20, 2016. This                  costs on tribal governments or preempt
                                                determination of attainment does not                    tribal law.                                           § 52.2056    Determinations of attainment.
                                                constitute a redesignation to attainment.                                                                     *     *     *     *      *
                                                                                                        B. Submission to Congress and the
                                                Redesignations require states to meet a                                                                         (n) EPA has determined based on
                                                                                                        Comptroller General
                                                number of additional criteria, including                                                                      2013 to 2015 ambient air quality
                                                EPA approval of a state plan to maintain                   The Congressional Review Act, 5                    monitoring data, that the Pittsburgh-
                                                the air quality standard for 10 years after             U.S.C. 801 et seq., as added by the Small             Beaver Valley, Pennsylvania marginal
                                                redesignation.                                          Business Regulatory Enforcement                       ozone nonattainment area has attained
                                                                                                        Fairness Act of 1996, generally provides              the 2008 8-hour ozone national ambient
                                                IV. Statutory and Executive Order                       that before a rule may take effect, the
                                                Reviews                                                                                                       air quality standard (NAAQS) by the
                                                                                                        agency promulgating the rule must                     applicable attainment date of July 20,
                                                A. General Requirements                                 submit a rule report, which includes a                2016. Therefore, EPA has met the
                                                                                                        copy of the rule, to each House of the                requirement pursuant to CAA section
                                                   This rulemaking action finalizes a
                                                                                                        Congress and to the Comptroller General               181(b)(2)(A) to determine, based on the
                                                determination of attainment on the 2008
                                                                                                        of the United States. EPA will submit a               area’s air quality as of the attainment
                                                ozone NAAQS based on air quality and
                                                                                                        report containing this action and other               date, whether the area attained the 2008
                                                does not impose additional
                                                                                                        required information to the U.S. Senate,              8-hour ozone NAAQS. EPA also
                                                requirements. For that reason, this
                                                                                                        the U.S. House of Representatives, and                determined that the Pittsburgh-Beaver
                                                determination of attainment:
                                                   • Is not a ‘‘significant regulatory                  the Comptroller General of the United                 Valley, Pennsylvania marginal
                                                action’’ subject to review by the Office                States prior to publication of the rule in            nonattainment area will not be
                                                of Management and Budget under                          the Federal Register. A major rule                    reclassified for failure to attain by its
                                                Executive Orders 12866 (58 FR 51735,                    cannot take effect until 60 days after it             applicable attainment date pursuant to
                                                October 4, 1993) and 13563 (76 FR 3821,                 is published in the Federal Register.                 section 181(b)(2)(A).
                                                January 21, 2011);                                      This action is not a ‘‘major rule’’ as
                                                                                                                                                              [FR Doc. 2016–29118 Filed 12–5–16; 8:45 am]
                                                   • does not impose an information                     defined by 5 U.S.C. 804(2).
                                                                                                                                                              BILLING CODE 6560–50–P
                                                collection burden under the provisions                  C. Petitions for Judicial Review
                                                of the Paperwork Reduction Act (44
                                                                                                           Under section 307(b)(1) of the CAA,
                                                U.S.C. 3501 et seq.);                                                                                         ENVIRONMENTAL PROTECTION
                                                                                                        petitions for judicial review of this
                                                   • is certified as not having a                                                                             AGENCY
                                                                                                        action must be filed in the United States
                                                significant economic impact on a
                                                substantial number of small entities                    Court of Appeals for the appropriate
                                                                                                                                                              40 CFR Part 228
                                                under the Regulatory Flexibility Act (5                 circuit by February 6, 2017. Filing a
                                                U.S.C. 601 et seq.);                                    petition for reconsideration by the                   [FRL–9955–13–Region 1]
                                                   • does not contain any unfunded                      Administrator of this final rule does not
                                                                                                        affect the finality of this action for the            Ocean Disposal; Designation of a
                                                mandate or significantly or uniquely                                                                          Dredged Material Disposal Site in
                                                affect small governments, as described                  purposes of judicial review nor does it
                                                                                                        extend the time within which a petition               Eastern Region of Long Island Sound;
                                                in the Unfunded Mandates Reform Act                                                                           Connecticut
                                                of 1995 (Pub. L. 104–4);                                for judicial review may be filed, and
                                                   • does not have federalism                           shall not postpone the effectiveness of               AGENCY:  Environmental Protection
                                                implications as specified in Executive                  such rule or action.                                  Agency (EPA).
                                                Order 13132 (64 FR 43255, August 10,                       This action determining that the                   ACTION: Final rule.
                                                1999);                                                  Pittsburgh Area attained the 2008 ozone
                                                   • is not an economically significant                 NAAQS by its July 20, 2016 attainment                 SUMMARY:   With the publication of this
                                                regulatory action based on health or                    date may not be challenged later in                   Final Rule, the Environmental
                                                safety risks subject to Executive Order                 proceedings to enforce its requirements.              Protection Agency (EPA) is designating
                                                13045 (62 FR 19885, April 23, 1997);                    (See section 307(b)(2).)                              the Eastern Long Island Sound Disposal
                                                   • is not a significant regulatory action             List of Subjects in 40 CFR Part 52                    Site (ELDS), located offshore from New
                                                subject to Executive Order 13211 (66 FR                                                                       London, Connecticut, for the disposal of
                                                28355, May 22, 2001);                                     Environmental protection, Air                       dredged material from harbors and
                                                   • is not subject to requirements of                  pollution control, Ozone, Incorporation               navigation channels in eastern Long
                                                Section 12(d) of the National                           by reference, Intergovernmental                       Island Sound and Little Narragansett
                                                Technology Transfer and Advancement                     relations, Reporting and recordkeeping                Bay in the states of Connecticut, New
                                                Act of 1995 (15 U.S.C. 272 note) because                requirements.                                         York, and Rhode Island. This action is
                                                application of those requirements would                   Dated: November 4, 2016.                            necessary to provide a long-term, open-
                                                be inconsistent with the CAA; and                       Shawn M. Garvin,                                      water dredged material disposal site as
                                                   • does not provide EPA with the                      Regional Administrator, Region III.                   an alternative for the possible future
                                                discretionary authority to address, as                      40 CFR part 52 is amended as follows:             disposal of such material. This disposal
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                                                appropriate, disproportionate human                                                                           site designation is subject to restrictions
                                                health or environmental effects, using                  PART 52—APPROVAL AND                                  designed to support the goal of reducing
                                                practicable and legally permissible                     PROMULGATION OF                                       or eliminating the disposal of dredged
                                                methods, under Executive Order 12898                    IMPLEMENTATION PLANS                                  material in Long Island Sound.
                                                (59 FR 7629, February 16, 1994).                                                                                 The basis for this action is described
                                                   In addition, this rule does not have                 ■ 1. The authority citation for part 52               herein and in the Final Supplemental
                                                tribal implications as specified by                     continues to read as follows:                         Environmental Impact Statement


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                         87821

                                                (FSEIS) released by EPA on November                     requirements of the Marine Protection,                for disposal must first satisfy the
                                                4, 2016 in conjunction with this Final                  Research, and Sanctuaries Act                         applicable criteria for testing and
                                                Rule. The FSEIS identifies designation                  (MPRSA), National Environmental                       evaluating dredged material specified in
                                                of the ELDS as the preferred alternative                Policy Act (NEPA), Coastal Zone                       EPA regulations at 40 CFR part 227, and
                                                from the range of options considered.                   Management Act (CZMA), and other                      it must be determined in accordance
                                                DATES: This final rule is effective on                  applicable federal and state statutes and             with EPA regulations at 40 CFR part
                                                January 5, 2017.                                        regulations. Compliance with these                    227, subpart C, that there is a need for
                                                ADDRESSES: EPA has established a                        requirements is described in detail in                open-water disposal (i.e., that there is no
                                                docket for this action under Docket                     Section VIII (‘‘Compliance with                       practicable dredged material
                                                Identification No. EPA–R01–OW–2016–                     Statutory and Regulatory                              management alternative to open-water
                                                0239. All documents in the docket are                   Requirements’’). The basis for this                   disposal with less adverse
                                                listed on the http://www.regulations.gov                federal action is further described in an             environmental impact). In addition, any
                                                Web site. Publically available docket                   FSEIS that identifies EPA designation of              proposal to dispose of dredged material
                                                materials are also available from EPA’s                 the ELDS as the preferred alternative.                under the MPRSA at the designated site
                                                Web site https://www.epa.gov/ocean-                     The FSEIS was released on November 4,                 will need to satisfy all the site
                                                                                                        2016 on the EPA Region 1 Web site:                    restrictions included in the Final Rule
                                                dumping/dredged-material-
                                                                                                        https://www.epa.gov/ocean-dumping/                    as part of the site designation. See 40
                                                management-long-island-sound.
                                                                                                        final-supplemental-environmental-                     CFR 228.8 and 228.15(b)(6).
                                                FOR FURTHER INFORMATION CONTACT: Jean                   impact-statement-eastern-long-island-
                                                Brochi, U.S. Environmental Protection                                                                         II. Background
                                                                                                        sound and is provided as a supporting
                                                Agency, New England Regional Office, 5                  document in the docket for this Final                    On April 27, 2016, EPA published in
                                                Post Office Square, Suite 100, Mail                     Rule. See 40 CFR 1506.10. This Final                  the Federal Register (81 FR 24748) a
                                                Code: OEP06–1, Boston, MA 02109–                        Rule also serves as EPA’s Record of                   proposed rule (the Proposed Rule) to
                                                3912, telephone (617) 918–1536,                         Decision (ROD) for the NEPA review                    designate an Eastern Long Island Sound
                                                electronic mail: brochi.jean@epa.gov.                   supporting the designation of this site.              Dredged Material Disposal Site (ELDS),
                                                SUPPLEMENTARY INFORMATION:                                 Dredged material disposal sites                    located offshore from New London,
                                                Organization of this document. The                      designated by EPA under the MPRSA                     Connecticut. EPA’s Proposed Rule also
                                                following outline is provided to aid in                 are subject to detailed management and                stated that two other alternative sites,
                                                locating information in this preamble.                  monitoring protocols to track site                    the Niantic Bay and Cornfield Shoals
                                                I. Final Action                                         conditions and prevent the occurrence                 disposal sites and CSDS), met the site
                                                II. Background                                          of unacceptable adverse effects. The                  selection criteria in the Ocean Dumping
                                                III. Purpose                                            management and monitoring protocols                   Regulations and could be designated for
                                                IV. Potentially Affected Entities                       for the ELDS are described in the Site                long-term use. EPA indicated that it was
                                                V. Disposal Site Description                            Management and Monitoring Plan                        not proposing to designate those two
                                                VI. Summary of Public Comments and EPA’s                (SMMP) that is incorporated into the                  alternative sites but requested public
                                                      Responses                                         FSEIS as Appendix I. See 33 U.S.C.                    comment on the advisability of using
                                                VII. Changes From the Proposed Rule                     1412(c)(3). EPA is authorized to close or             those sites.
                                                VIII. Compliance With Statutory and                                                                              On July 7, 2016, EPA published in the
                                                      Regulatory Requirements
                                                                                                        limit the use of these sites to further
                                                                                                        disposal activity if their use causes                 Federal Register (81 FR 44220) a final
                                                   A. Marine Protection, Research, and
                                                      Sanctuaries Act and Clean Water Act               unacceptable adverse impacts to the                   rule to amend the 2005 rule that
                                                   B. National Environmental Policy Act                 marine environment or human health.                   designated the Central and Western
                                                   C. Coastal Zone Management Act                          The designation of this disposal site              Long Island Sound dredged material
                                                   D. Endangered Species Act                            does not constitute or imply EPA’s                    disposal sites (CLDS and WLDS,
                                                   E. Magnuson-Stevens Fishery Conservation             approval of open-water disposal of                    respectively). The rule amendments
                                                      and Management Act                                dredged material at the site from any                 established new restrictions on the use
                                                IX. Restrictions                                        specific project. Disposal of dredged                 of those sites to support the goal of
                                                X. Supporting Documents                                 material from federal projects, or non-               reducing or eliminating open-water
                                                XI. Statutory and Executive Order Reviews               federal projects involving more than                  disposal in Long Island Sound. The
                                                                                                        25,000 cubic yards (cy) of material, will             restrictions include standards and
                                                I. Final Action
                                                                                                        not be allowed at the ELDS until the                  procedures to promote the development
                                                   EPA is publishing this Final Rule to                 proposed disposal operation first                     and use of practicable alternatives to
                                                designate the ELDS to provide an                        receives, among other things, proper                  open-water disposal, including
                                                environmentally sound, open-water                       authorization from the U.S. Army Corps                establishment of an interagency
                                                disposal option for possible use in                     of Engineers (USACE) under MPRSA                      ‘‘Steering Committee’’ and ‘‘Regional
                                                managing dredged material from harbors                  section 103. (Proposals to dispose of                 Dredging Team’’ that will oversee
                                                and navigation channels in eastern Long                 material from non-federal projects                    implementation of the rule. As
                                                Island Sound and its vicinity in the                    involving less than 25,000 cy yards of                explained in the Proposed Rule for the
                                                states of Connecticut, New York, and                    material are subject to regulation under              ELDS, the restrictions applicable to the
                                                Rhode Island. The site designation is                   Section 404 of the Clean Water Act.) In               CLDS and WLDS also will be applied to
                                                effective for an indefinite period of time.             addition, any authorization by the                    use of the ELDS.
                                                The use of the site is subject to                       USACE under MPRSA section 103 is
                                                restrictions designed to reduce or                      subject to EPA review under MPRSA                     III. Purpose
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                                                eliminate open-water disposal of                        section 103(c), and EPA may concur,                      The purpose of EPA’s action is to
                                                dredged material in Long Island Sound,                  concur with conditions, or decline to                 provide a long-term, environmentally
                                                and to ensure protection of the                         concur with the authorization as a result             acceptable dredged material disposal
                                                environment if and when the site is                     of such review. In order to properly                  option for potential use by the USACE
                                                used.                                                   obtain authorization to dispose of                    and other federal, state, county,
                                                   The site designation process has been                dredged material at the ELDS under the                municipal, and private entities that
                                                conducted consistent with the                           MPRSA, the dredged material proposed                  must dredge channels, harbors, marinas,


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                                                87822            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                and other aquatic areas in eastern Long                 disposal at the ELDS is $31/cy for a total            approximately 20 mcy, which still
                                                Island Sound in order to maintain                       cost of $2,325,000, while disposal at the             supports the conclusion that a disposal
                                                conditions for safe navigation for marine               CLDS is estimated at $64/cy for a total               site is needed in the eastern region of
                                                commerce and recreation, and for                        of $4,800,000. An improvement                         the Sound. The reassessment of capacity
                                                military and public safety operations.                  (deepening) project to accommodate a                  needs is discussed further in Sections V
                                                This action is necessary because: (1)                   larger class of submarine planned for                 (‘‘Disposal Site Description’’) and VI
                                                Periodic dredging is needed to maintain                 2016–2025 is expected to generate about               (‘‘Summary of Public Comments and
                                                safe navigation and occasionally                        350,000 cy; the estimated cost of                     EPA’s Responses’’) of this document
                                                improve ports and harbors to maintain                   disposal at the ELDS is $26/cy for a total            and in Section 5.8 of the FSEIS.
                                                competitiveness and support a changing                  cost of $9,100,000, while disposal at the                The detailed assessment of
                                                economy, and open-water dredged                         CLDS is estimated at $57/cy for a total               alternatives to open-water disposal in
                                                material disposal is necessary when                     of $19,950,000 (USACE, 2016b). Thus,                  the USACE’s DMMP determined that,
                                                practicable alternative means of                        the longer haul distance more than                    while the sand generated in this region
                                                managing the material are not available;                doubles the cost to the public for the                may be able to be used beneficially to
                                                (2) EPA determined that dredged                         federal government to dredge the same                 nourish beaches, there are not
                                                material disposal/handling needs in the                 project.                                              practicable alternatives to open-water
                                                eastern region of Long Island Sound                        Furthermore, the greater transport                 disposal with sufficient capacity to
                                                exceed the available disposal/handling                  distances would be environmentally                    handle the projected volume of fine-
                                                capacity in that region; (3) the two                    detrimental, in that they would entail                grained sediment. As described in the
                                                currently used disposal sites in this                   greater energy use, increased air                     Proposed Rule and in Section IX of the
                                                region, the New London Disposal Site                    emissions, and increased risk of spills               Final Rule itself, EPA has placed
                                                (NLDS) and CSDS, are only authorized                    and short dumps (FSEIS, Section 2.1).                 restrictions on the use of all Long Island
                                                for use until December 23, 2016; (4)                    Regarding air emissions, increased                    Sound dredged material disposal sites
                                                there are currently no disposal sites                   hauling distances might require using                 that are designed to facilitate and
                                                designated for long-term use in the                     larger scows with more powerful towing                promote the use of practicable
                                                eastern Long Island Sound region; and                   vessels, which would use more fuel and                alternatives to open-water disposal
                                                (5) under the MPRSA, an EPA                             cause more air pollution. Longer haul                 whenever available, but EPA has
                                                designation is required for any long-                   distances also may increase the amount                determined that one designated open-
                                                term open-water dredged material                        of time necessary to complete a                       water disposal site is needed in eastern
                                                disposal site in Long Island Sound.                     dredging project, resulting in an                     Long Island Sound.
                                                   In addition, the closest designated                  extended period of disruption to the                     Given the need to provide an open-
                                                sites outside the eastern Long Island                   areas being dredged.                                  water disposal site as an option for
                                                Sound region are the Central Long                          In its Long Island Sound Dredged                   dredged material management, EPA
                                                Island Sound Disposal Site (CLDS) and                   Material Management Plan (DMMP), the                  designation of a long-term dredged
                                                the Rhode Island Sound Disposal Site                    USACE projected that dredging in                      material disposal site(s) provides
                                                (RISDS), and both are too far from                      eastern Long Island Sound would                       environmental benefits. First, when a
                                                dredging centers in the eastern region of               generate approximately 22.6 million                   site being used under the USACE’s
                                                the Sound to be reasonable alternatives                 cubic yards (mcy) of dredged material                 short-term site selection authority is due
                                                to the proposed site designation. For                   over the next 30 years. Of the total                  to expire, designation by EPA is the
                                                example, the distance from New London                   amount of 22.6 mcy, approximately 13.5                only way to authorize continued use of
                                                Harbor to the CLDS is 34.7 nautical                     mcy was projected to be fine-grained                  that site, even if the site is
                                                miles (nmi) and to the RISDS is 44.5                    sediment that meets MPRSA and Clean                   environmentally suitable or even
                                                nmi. The Western Long Island Sound                      Water Act (CWA) standards for aquatic                 environmentally preferable to all other
                                                Disposal Site (WLDS) is approximately                   disposal (i.e., ‘‘suitable’’ material), and           sites. With the NLDS and CSDS closing
                                                59 nmi west of New London Harbor,                       9.1 mcy was projected to be coarse-                   in December 2016, EPA’s site
                                                making it an even less feasible                         grained sand that also meets MPRSA                    designation studies were designed to
                                                alternative.                                            and CWA standards for aquatic disposal                determine whether these or any other
                                                   While the CLDS, WLDS, and RISDS                      (i.e., also ‘‘suitable’’ material). In                sites should be designated for continued
                                                have all been determined to be                          addition, the DMMP projected that                     long-term use. Congress has directed
                                                environmentally sound sites for                         approximately 80,900 cy of material                   that the disposal of dredged material
                                                receiving suitable dredged material,                    from eastern Long Island Sound would                  should take place at EPA-designated
                                                proposing to use any of them for                        be fine-grained sediment that does not                sites, rather than USACE-selected sites,
                                                suitable dredged material from the                      meet MPRSA and CWA standards for                      when EPA-designated sites are available
                                                eastern region of Long Island Sound                     aquatic disposal (i.e., ‘‘unsuitable’’                (see MPRSA 103(b)). Consistent with
                                                would be problematic, and EPA would                     material).                                            that Congressional intent, EPA’s policy
                                                consider them to be options of last                        In response to comments asserting                  is that it is generally environmentally
                                                resort. Using the CLDS or RISDS would                   that no disposal site is needed in the                preferable to concentrate any open-
                                                greatly increase the transport distance                 eastern region of Long Island Sound,                  water disposal at sites that have been
                                                for, and duration of, open-water                        and comments urging that the size of                  used historically and at fewer sites,
                                                disposal for dredging projects from the                 any site be reduced or minimized, EPA                 rather than relying on the selection by
                                                eastern Long Island Sound region. This,                 asked the USACE to revisit once more                  the USACE of multiple sites to be used
                                                in turn, would greatly increase the cost                its estimate of disposal capacity needs               for a limited time, see 40 CFR 228.5(e).
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                                                of such projects and would likely render                and to revise the figures, if appropriate.               Second, MPRSA criteria for selecting
                                                many dredging projects too expensive to                 Although the values from the DMMP                     and designating sites require EPA to
                                                conduct. For example, maintenance                       reflected substantial analysis and public             consider previously used disposal sites,
                                                dredging of the U.S. Navy Submarine                     input, the USACE agreed to reassess the               with active or historically used sites
                                                Base berths planned for 2016–2020 is                    capacity needs in coordination with                   given preference in the evaluation (40
                                                expected to generate about 75,000 cy of                 EPA. This reassessment has resulted in                CFR 228.5(e)). This preference will
                                                suitable material; the estimated cost of                a projected disposal capacity need of                 concentrate the effects, if any, of open-


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                                                                   Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                             87823

                                                water disposal of dredged material to                        and public safety operations, such as                 defense planning and operations as well
                                                discrete areas that have already received                    those associated with the U.S. Naval                  as public safety.
                                                dredged material, and avoid distributing                     Submarine Base in Groton and the U.S.
                                                                                                                                                                   IV. Potentially Affected Entities
                                                any effects over a larger geographic area.                   Coast Guard facilities in New London.
                                                Finally, unlike USACE-selected sites,                        These businesses and industries                         Entities potentially affected by this
                                                EPA-designated sites require a SMMP                          contribute substantially to the region’s              action are persons, organizations, or
                                                that will help ensure environmentally                        economic output, the gross state product              government bodies seeking to dispose of
                                                sound monitoring and management of                           (GSP) of the bordering states, and tax                dredged material in waters of eastern
                                                the sites.                                                   revenue. Continued access to navigation               Long Island Sound, subject to the
                                                   Designating an environmentally                            channels, harbors, berths, and mooring                requirements of the MPRSA and/or the
                                                sound open-water disposal site to allow                      areas is vital to ensuring the continued              CWA and their implementing
                                                for and facilitate necessary dredging in                     economic health of these industries, and              regulations. This rule is expected to be
                                                the eastern region of Long Island Sound                      to preserving the ability of the region to            primarily of relevance to: (a) Private
                                                also will yield a number of public                           import fuels, bulk supplies, and other                parties seeking permits from the USACE
                                                benefits. First, designating an                              commodities at competitive prices.                    to transport more than 25,000 cubic
                                                environmentally sound disposal site                          Second, preserving navigation channels,               yards of dredged material for the
                                                will yield economic benefits. There are                      marinas, harbors, berthing areas, and                 purpose of disposal into the waters of
                                                a large number of important navigation-                      other marine resources, improves the                  eastern Long Island Sound; (b) the
                                                dependent businesses and industries in                       quality of life for residents and visitors            USACE for its own dredged material
                                                the eastern Long Island Sound region,                        to the eastern Long Island Sound region               disposal projects; and (c) other federal
                                                ranging from shipping (especially the                        by facilitating recreational boating and              agencies seeking to dispose of dredged
                                                movement of petroleum fuels and the                          associated activities, such as fishing and            material in eastern Long Island Sound.
                                                shipping of bulk materials), to                              sightseeing. Finally, by facilitating                 Potentially affected entities and
                                                recreational boating-related businesses,                     dredging needed to support U.S. Navy                  categories of entities that may seek to
                                                marine transportation, commercial and                        and Coast Guard operations, designation               use the designated dredged material
                                                recreational fishing, interstate ferry                       of an open-water dredged material                     disposal site and would be subject to the
                                                operations, ship building, and military                      disposal site also supports national                  proposed rule include:

                                                                    Category                                                              Examples of potentially affected entities

                                                Federal government ..................................   USACE (Civil Works Projects), and other federal agencies.
                                                State, local, and tribal governments .........          Governments owning and/or responsible for ports, harbors, and/or berths, government agencies re-
                                                                                                          quiring disposal of dredged material associated with public works projects.
                                                Industry and general public ......................      Port authorities, shipyards and marine repair facilities, marinas and boatyards, and berth owners.



                                                   This table is not intended to be                          management practices have been                        the DMMP. See 81 FR 24750. EPA
                                                comprehensive, but rather provides a                         successful in minimizing short-term,                  received comments stating that there
                                                guide for readers regarding the types of                     long-term, and cumulative impacts to                  was no need for a disposal site to be
                                                entities that could potentially be                           water quality and benthic habitat in this             designated in the eastern region of Long
                                                affected by this Final Rule. EPA notes                       vicinity. EPA has determined that the                 Island Sound. As part of its
                                                that nothing in this rule alters the                         ELDS also can be successfully managed.                consideration of, and response to, these
                                                jurisdiction or authority of EPA, the                        Third, designating the ELDS, which is                 comments, EPA requested the USACE
                                                USACE, or the types of entities                              immediately adjacent to the NLDS,                     prepare a more refined estimate of the
                                                regulated under the MPRSA and/or                             would be consistent with USEPA’s                      dredged material disposal capacity
                                                CWA. Questions regarding the                                 ocean disposal regulations, which                     needed for sediments projected to be
                                                applicability of this Final Rule to a                        indicate a preference for designating                 dredged from the eastern region of the
                                                particular entity should be directed to                      disposal sites in areas that have been                Sound. The USACE undertook this
                                                the contact person listed in the                             used in the past, rather than new,                    analysis and projected that a disposal
                                                preceding FOR FURTHER INFORMATION                            relatively undisturbed areas (40 CFR                  capacity of approximately 20 mcy
                                                CONTACT section.                                             228.5(e)).                                            (based on water volume below a depth
                                                V. Disposal Site Description                                    Finally, in response to public                     of 59 feet [18 meters] and slope
                                                   This rule designates the ELDS, but                        comments, which are described further                 calculations, with a buffer zone) would
                                                with site boundaries modified from                           in Section VI (‘‘Summary of Public                    likely be sufficient. This estimate
                                                those in the Proposed Rule, for open-                        Comments and EPA’s Responses’’), EPA                  reflects a variety of factors, some of
                                                water disposal of dredged material for                       is designating an ELDS that has been                  which involve an unavoidable degree of
                                                several reasons. First, the entire ELDS is                   relocated farther to the west and is                  uncertainty. These factors include the
                                                a containment site, which will protect                       smaller in size than the preferred                    following: Specific dredging projects
                                                the environment by retaining the                             alternative described in the Proposed                 currently projected within the region
                                                dredged material within the site and,                        Rule. Thus, the boundaries of the ELDS                (including possible ‘‘improvement
                                                accordingly, will also support effective                     have been redrawn for this Final Rule.                projects’’ to further deepen channels or
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                                                site management and monitoring.                              For the Proposed Rule, EPA proposed                   berthing areas); how much of each type
                                                Second, the NLDS, which is                                   an ELDS with an estimated capacity of                 of material (e.g., sand, suitable and
                                                immediately to the east of the ELDS, has                     27 mcy based on an estimated need for                 unsuitable fine-grained material) is
                                                been used for dredged material disposal                      disposal capacity of approximately 22.6               estimated to be generated by each
                                                for over 60 years, and monitoring of the                     mcy for material from the eastern region              project; how much of this material is
                                                NLDS over the past 35 years has                              of the Sound, which in turn was based                 estimated to require open-water
                                                determined that past and present                             on the dredging needs assessment from                 disposal; the possibility of increased


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                                                87824            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                dredging needs caused by larger-than-                   to avoid two areas of rocky outcroppings              VI. Summary of Public Comments and
                                                normal storms; and a ‘‘bulking factor’’ of              that might provide habitat for fish and               EPA’s Responses
                                                approximately 10 percent. More                          other marine life that are attracted to                  EPA received numerous comments on
                                                specifically, the revised projected                     ‘‘structure’’ on the seafloor. EPA has                its proposed site designation as
                                                disposal capacity need of approximately                 determined that the reconfigured ELDS                 described in the DSEIS and Proposed
                                                20 mcy is based on the need to                          would provide approximately 20 mcy of                 Rule from federal and state elected
                                                accommodate approximately 12.5 mcy                      disposal capacity, which will meet the                officials in Connecticut, New York, and
                                                of suitable fine-grained sediment; 2.8                  disposal capacity need estimated by the               Rhode Island; the USACE; the U.S.
                                                mcy from potential improvement                          USACE.                                                Navy; the states of Connecticut and New
                                                (deepening) dredging projects; 1.8 mcy                     The following site description is                  York; a number of municipalities;
                                                of shoal material resulting from extreme                based on information in section 3.4.3 of              environmental groups; harbor and
                                                storm events; 1.1 mcy of sand                           the FSEIS and other support documents.                marine trade groups; and many private
                                                (recognizing that beach nourishment                     Specifically, Figure 5.6 in the FSEIS                 citizens. EPA received comments both
                                                may not be a practicable alternative for                show the location of the site and Table               in support of and in opposition to its
                                                all 9.1 mcy of the projected sand); and                 5–11 provides coordinates for the site                proposed action, with some offering
                                                160,000 cy for the excavation of                        boundaries.                                           suggested improvements. Documents
                                                Confined Aquatic Disposal cells (for                       The ELDS, as described in the                      containing copies of all of the public
                                                material unsuitable for open-water                      Proposed Rule, comprised                              comments received by EPA and EPA’s
                                                disposal); for a total of 18,364,500 cy;                approximately the western half of the                 response to each of the comments have
                                                and a bulking factor of approximately 10                existing NLDS, along with Sites NL-Wa
                                                percent of the total, which brings the                                                                        been placed in the public docket and on
                                                                                                        and NL-Wb, which are adjacent areas                   the Web site identified in the ADDRESSES
                                                total to about 20 mcy. The ‘‘bulking                    immediately to the west of the NLDS.
                                                factor’’ assumes that dredged material                                                                        section of this document. There was
                                                                                                        The ELDS now being designated                         significant overlap among the comments
                                                placed at a disposal site is relatively                 excludes the NLDS entirely and
                                                unconsolidated and, thus, will require                                                                        received. Below, EPA summarizes the
                                                                                                        encompasses most of former Site NL-Wa                 main points of the commenters and the
                                                more capacity when it is placed at a                    (excluding the northern bedrock area)
                                                disposal site than it occupied when in                                                                        Agency’s responses.
                                                                                                        and former Site NL-Wb (excluding the                     Comment #1. EPA received many
                                                it was in a consolidated state on the                   southern bedrock area) (see FSEIS,
                                                seafloor prior to dredging. EPA                                                                               comments in support of the designation
                                                                                                        Figure 5.6). The ELDS combines these                  of ELDS from members of the
                                                discussed this disposal capacity needs                  two areas, forming an irregularly-shaped
                                                analysis with the USACE before, during,                                                                       Connecticut and Rhode Island
                                                                                                        polygon that is 1 x 1.5 nmi, but that                 Congressional delegations (including a
                                                and after its development, and EPA has                  excludes the two previously described
                                                also independently assessed it. Based on                                                                      separate submission from Congressman
                                                                                                        bedrock areas for a total area of                     Joseph Courtney), the U.S. Navy, the
                                                all of this, EPA regards the disposal                   approximately 1.3 square nautical miles
                                                capacity needs analysis to be                                                                                 Connecticut Department of Energy and
                                                                                                        (nmi2).                                               Environmental Protection, the
                                                reasonable, especially in light of the
                                                                                                           Water depths in the ELDS range from                Connecticut Port Authority, the
                                                unavoidable uncertainty associated with
                                                                                                        approximately 59 feet (18 m) in the                   Connecticut Harbor Management
                                                some of its elements.
                                                   EPA also received comments                           north to 100 feet (30 m) in the south.                Association, marina and boatyard
                                                opposing designation of the ELDS but                    The seafloor at the site consists of                  operators, several local government
                                                expressing a willingness to accept the                  mostly flat, sandy areas, sloping                     officials, and private citizens. While
                                                NBDS site, lying farther in Connecticut                 gradually from north to south. However,               many of these comments were of a
                                                waters. EPA regards these comments to                   there is an area of boulders and bedrock              general nature, some of the commenters
                                                be at least suggestive of a desire to move              in the northern part of former Site NL-               also provided additional, specific
                                                the site farther from New York waters,                  Wa that has been excluded from the                    comments related to the proposed
                                                while recognizing that such comments                    reconfigured site boundaries due to its               action which are addressed in more
                                                do not necessarily indicate an                          potential value as fisheries habitat. This            detail farther below in this section.
                                                acceptance of an ELDS relocated to lie                  boulder area may be a lag deposit of a                   Response #1. EPA acknowledges the
                                                exclusively in Connecticut waters. In                   glacial moraine. The water depth in                   support provided for the Proposed Rule
                                                addition, EPA received comments                         parts of the boulder area is shallower                to designate the ELDS.
                                                supporting the ELDS but urging that its                 than 59 feet (18 m). The southwestern                    Comment #2. EPA also received a
                                                eastern boundary be pushed westward                     corner of former Site NL-Wb also                      number of nearly identical comments
                                                farther away from the submarine transit                 contains an area of bedrock and                       stating opposition to the DSEIS and the
                                                corridor in that area of the Sound.                     boulders, which is an extension of a                  Proposed Rule to designate the ELDS,
                                                Finally, EPA received several comments                  larger area with a similar substrate                  and dredged material disposal in Long
                                                opposing designation of the NBDS due                    further to the south. The reconfigured                Island Sound in general. These included
                                                to its proximity to the Millstone Power                 site boundaries also exclude this area of             comments from Congressman Lee
                                                Plant.                                                  potentially high value fisheries habitat.             Zeldin, Suffolk County Legislators Sarah
                                                   Taking all of these comments and the                    The distance from the ELDS to the                  Anker and Al Krupski, the Citizens
                                                above dredged material disposal                         closest points of land and the state                  Campaign for the Environment, the
                                                capacity needs analysis into account,                   border are as follows: From the northern              Fishers Island Conservancy, the Group
                                                EPA has redrawn the boundaries of the                   boundary to the Connecticut shoreline                 for the East End, the East End Sailing
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                                                ELDS. The site has been moved to the                    (specifically, Harkness Memorial State                Association, several local government
                                                west so that it avoids the submarine                    Park in Waterford, Connecticut, is 1.1                officials, and private citizens.
                                                transit corridor. The entire site now also              nmi; from the southeastern corner to                     Some of these commenters found the
                                                lies in Connecticut waters                              Fishers Island, New York, is 2.3 nmi;                 DMMP to be inadequate, criticized the
                                                approximately 0.2 nm from New York                      and from the southeastern corner to the               DMMP’s use of the Federal Standard in
                                                waters. In addition, the northern and                   Connecticut/New York state border is                  evaluating alternatives, criticized what
                                                southern site boundaries were modified                  .19 nmi).                                             they see as a lack of progress toward


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                        87825

                                                reducing or eliminating dredged                         regarding the Federal Standard in the                 points in the Governor’s letter are
                                                material disposal in Long Island Sound                  preamble to the final rule for the Central            addressed at Comment and Response #4
                                                (and, conversely, a lack of progress in                 and Western Disposal Sites (81 FR                     below.)
                                                increasing beneficial use), and opposed                 44220) and in the complete Response to                   Response #3. EPA agrees that
                                                the preferred alternative of designating                Comments document placed in the                       dredging is necessary to provide for safe
                                                the ELDS as a dredged material disposal                 public docket and on the Web site                     navigation in and around Long Island
                                                site. Some of the commenters also                       identified in the ADDRESSES section of                Sound and acknowledges that the
                                                provided additional, specific comments,                 this document.                                        marine trade industry is an important
                                                which are addressed in more detail                         Comment #3. Commenters provided a                  contributor to the economies of both
                                                elsewhere in this section.                              range of opinions on the need for a                   Connecticut and New York. EPA also
                                                   Response #2. EPA acknowledges, but                   disposal site in Eastern Long Island                  agrees that dredging is necessary to
                                                disagrees with, the opposition to the                   Sound. Some commenters noted that                     provide recreational boating access to
                                                designation of the ELDS, and to the                     dredging is necessary to ensure                       Long Island Sound. Recreational
                                                open-water disposal of dredged material                 recreational boating and commercial                   boating, and associated activities such
                                                in Long Island Sound in general,                        shipping access to the waters of Long                 as fishing and sightseeing, are important
                                                expressed by these commenters. At the                   Island Sound. They point out that                     public uses of the Sound that improve
                                                same time, as discussed further in                      marinas, boatyards, and boat clubs                    the quality of life for residents and
                                                response to other comments in this                      provide the main access for the public                visitors alike, while also contributing to
                                                section, EPA concludes that some                        to get out onto the Sound and these                   the local economy. EPA also notes that
                                                amount of open-water disposal of                        facilities must dredge periodically to                by helping to provide for safe
                                                dredged material into Long Island                       maintain sufficient depth for safe                    navigation, not only does
                                                Sound will be necessary in the future                   berthing and navigation. In addition,                 environmentally-sound dredging and
                                                because: (1) Dredging is essential to                   they comment that dredging is vital to                dredged material management benefit
                                                allow for safe navigation for                           ensure the continued existence of                     commercial and recreational uses of
                                                recreational, commercial and military                   commercial and recreational industries                Long Island Sound, but it also
                                                and public safety vessels in Long Island                that generate billions of dollars of                  contributes to national security and
                                                Sound, and (2) practicable alternatives                 economic activity and support                         public safety by facilitating navigation
                                                to open-water disposal are unlikely to                  thousands of jobs around the Sound.                   for U.S. Navy, U.S. Coast Guard, and
                                                be sufficient to accommodate the                        They also note that dredging is                       other types of military and public safety
                                                amount of material projected to be                      important to support the function of                  vessels.
                                                dredged from the eastern region of Long                 national interest facilities, such as the                EPA disagrees with the suggestion in
                                                Island Sound over the 30-year planning                  Naval Submarine Base New London and                   the letter from NYSDOS and NYSDEC
                                                horizon. Furthermore, the ELDS is an                    U.S. Coast Guard facilities. These                    and the Governor’s letter that an eastern
                                                environmentally appropriate disposal                    commenters conclude that the ELDS                     Long Island Sound disposal site is not
                                                site and restrictions on the type of                    site, as proposed, will meet the dredging             needed because there is sufficient
                                                material that can be placed at the ELDS,                needs for the region over the next 30                 capacity at other already designated
                                                coupled with regulatory requirements to                 years and, therefore, there is no need to             sites outside of the eastern Sound, such
                                                use available practicable alternatives to               designate additional sites (such as the               as the CLDS, WLDS, and RISDS. The
                                                open-water disposal, should ensure that                 CSDS or NBDS).                                        USACE projected in the DMMP that
                                                any use of the disposal site is                            Other commenters conclude that the                 dredging in Long Island Sound would
                                                minimized and does not harm the                         dredging needs in the DMMP are vastly                 generate approximately 52.9 mcy of
                                                environment. The Final Rule includes                    overstated, and that there is no need for             material over the 30-year planning
                                                the same site use restrictions that were                a disposal site in eastern Long Island                horizon, with approximately 30.3 mcy
                                                promulgated for the CLDS and WLDS                       Sound. In comments provided by the                    coming from the western and central
                                                and are designed to reduce or eliminate                 New York State Department of State                    regions, and 22.6 mcy from the eastern
                                                the disposal of dredged material into the               (NYSDOS) and New York State                           region. Of the 52.9 mcy, approximately
                                                waters of Long Island Sound.                            Department of Environmental                           3.3 mcy of material are projected to be
                                                   In response to concerns regarding the                Conservation (NYSDEC), the                            unsuitable for open-water disposal, see
                                                adequacy of the DMMP, EPA believes                      departments noted that they did not                   81 FR 24750, leaving approximately
                                                the DMMP provides useful information                    think it was necessary to designate a site            49.6 mcy of material that could
                                                to help the agencies achieve the goal of                in the eastern region of Long Island                  potentially be placed at an open-water
                                                reducing or eliminating the open-water                  Sound, but they also recognized the                   disposal site, if necessary. Of this 49.6
                                                disposal of dredged material in the                     importance of providing stakeholders                  mcy, 15.2 mcy are projected to be sand
                                                Sound. To help realize this goal, the                   with a range of options for management                that could potentially be used for
                                                DMMP recommends standards and                           of dredged material and recommended                   beneficial uses, such as beach
                                                procedures for the agencies to use in the               EPA designate the NBDS alternative and                nourishment, while 34.4 is projected to
                                                review of dredged material management                   the NLDS as a ‘‘remediation site.’’ EPA               be fine-grained material suitable for
                                                proposals. In addition, the DMMP                        received a letter from New York                       open-water disposal. Obviously, it is
                                                identifies and discusses a range of                     Governor Andrew Cuomo after the end                   likely that beneficial uses, or some other
                                                specific alternatives to open-water                     of the comment period expressing                      upland management option, will be
                                                disposal for each of the 52 Federal                     opposition to any disposal site                       found for some amount of the sand, and
                                                Navigation Projects (FNPs) in Long                      designation in eastern Long Island                    even some amount of the fine-grained
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                                                Island Sound. The choice of which                       Sound. The Governor’s comments                        materials, but there is no guarantee of
                                                alternative (or alternatives) should be                 further state that the EPA and USACE                  this and it is impossible to be sure in
                                                implemented for a specific dredging                     are incorrectly seeking to justify an                 advance what these amounts will be.
                                                project will be made in the future based                eastern site based on the assertion that                 As noted in the DSEIS, the CLDS and
                                                on the facts, law and policy that exist at              there is inadequate capacity at the                   WLDS are each estimated to have a
                                                the time of the decision. EPA has                       CLDS, WLDS, and Rhode Island Sound                    disposal capacity of about 20 mcy. This
                                                provided a more detailed discussion                     Disposal Site (RISDS). (Additional                    40 mcy of capacity is not enough to take


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                                                87826            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                the full 49.6 mcy of material that could                Cuomo (and undersigned by 32 federal                  long as materials were not placed at the
                                                require open-water disposal. The RISDS                  and state elected officials) after the end            NLDS near to Fisher’s Island, NY, and
                                                was designated in 2005 to serve the                     of the comment period (dated August 4,                were instead placed at the CLDS, just
                                                dredging needs of the Rhode Island and                  2016). The Governor’s letter expresses                south of New Haven, Connecticut. At
                                                southeastern Massachusetts region.                      opposition to any disposal site being                 other times, when practicable
                                                   Furthermore, the predicted amounts                   designated in the eastern region of Long              alternatives were available, material
                                                of material to be managed are                           Island Sound and indicates his intent to              dredged from New York waters has been
                                                unavoidably imperfect estimates. The                    legally challenge any EPA rule                        managed at upland sites. The same is
                                                actual amounts of material to be                        designating a disposal site in eastern                true for material dredged from
                                                managed could be higher (or lower) over                 Long Island Sound and seek to prevent                 Connecticut waters (i.e., that some
                                                the 30-year planning horizon, especially                any disposal pursuant to any such rule.               material has been placed at open-water
                                                when unpredictable events such as large                 The Governor states that this stance is               disposal sites, while other material has
                                                storms and possible improvement                         consistent with the State of New York’s               been managed at upland sites).
                                                dredging needs are considered.                          decades-long opposition to ‘‘the                      Furthermore, in still other cases, the
                                                Therefore, EPA deems it reasonable to                   unabated dumping of dredged materials                 dredged material from particular
                                                take a conservative approach and                        in Long Island Sound.’’ The letter also               projects has been analyzed and found to
                                                designate sites to ensure adequate                      states that the designation of a site in              be unsuitable for open-water disposal
                                                disposal capacity is available for all the              eastern Long Island Sound is not                      and such material has been managed
                                                projected material, recognizing that all                necessary and may further impede                      using methods other than open-water
                                                the capacity might not end up being                     progress toward reducing or eliminating               disposal (e.g., placement in a confined
                                                needed. Indeed, as per the site use                     open water disposal, a fundamental                    aquatic disposal [CAD] cell or confined
                                                restrictions, EPA will be working with                  component of the rule. In addition, the               disposal facility [CDF]). Thus, some
                                                others to try to find beneficial use                    letter indicates that the State of New                suitable material from New York has
                                                options for dredged material to                         York opposes the site designation based               been placed at open-water disposal
                                                minimize how much disposal capacity                     on comments provided by NYSDOS and                    sites, while some has been managed at
                                                is needed.                                              NYSDEC in a joint letter. The letter                  upland locations (e.g., for beach
                                                   Beyond the issue of having enough                    further states that the EPA and USACE                 nourishment) and unsuitable material
                                                disposal capacity, EPA also determined                  are incorrectly seeking to justify an                 has been managed without open-water
                                                that the CLDS, WLDS, and RISDS would                    eastern site based on the assertion that              disposal. EPA supports this type of
                                                not reasonably serve the needs of the                   there is inadequate capacity at the                   overall approach (i.e., choosing a
                                                eastern Long Island Sound region once                   WLDS, WLDS, and RISDS.                                management method appropriate to the
                                                the environmental effects, cost,                           Response #4. EPA is not legally                    facts of each individual case from a
                                                environmental and safety risks, and                     obligated to consider and respond to the              menu of environmentally sound
                                                logistical difficulties of using such                   Governor’s comment letter in this                     methods).
                                                distant sites were taken into account.                  rulemaking process and environmental
                                                Thus, part of the basis of EPA’s                        review under NEPA because the letter                     Consistent with this more nuanced
                                                determination that a designated site is                 was submitted after the close of the                  history, EPA believes these issues
                                                needed in eastern Long Island Sound is                  comment period. Nevertheless, EPA has                 should be addressed based on their
                                                the longer transit distances from                       reviewed and given careful                            technical, factual, legal, and policy
                                                dredging centers in the region to the                   consideration to the views presented by               merits, rather than taking an across-the-
                                                CLDS, WLDS, and RISDS. These longer                     Governor Cuomo and provides a                         board position for or against dredged
                                                trips would result in greater energy use,               response here.                                        material disposal in the waters of the
                                                increased air emissions, increased risk                    EPA disagrees with the stance                      Sound. EPA has found that the DMMP
                                                of spills, more difficult project logistics,            presented by the Governor’s letter.                   and the USACE’s more recent updated
                                                and greater cost.                                       Without waiting to read EPA’s final                   dredged material disposal capacity
                                                   As part of its consideration of, and                 analysis of whether an appropriate site               needs analysis clearly establish a need
                                                response to, comments asserting that no                 can be identified, and whether there is               for a dredged material disposal site to be
                                                disposal site is needed in the eastern                  a need for such a site to provide a                   designated in the eastern region of the
                                                region of Long Island Sound, and                        dredged material disposal option to                   Sound. EPA’s analysis, in turn,
                                                comments urging that the size of any                    ensure that dredging needed to ensure                 establishes that the ELDS is an
                                                site be reduced or minimized, EPA                       safe navigation and suitable berthing                 appropriate site for designation. This
                                                asked the USACE to revisit once more                    areas for recreational, commercial,                   designation will provide an option for
                                                its estimate of disposal capacity needs                 public safety and military vessels, the               potential use for suitable material when
                                                and prepare a more refined estimate of                  Governor expresses a plan to sue over                 practicable alternatives to open-water
                                                the dredged material disposal capacity                  any rule designating a site in the eastern            disposal are not available. Going
                                                needed for sediments projected to be                    region of Long Island Sound.                          forward, application of EPA’s sediment
                                                dredged from the eastern region of the                     While the Governor’s letter suggests               quality criteria will ensure that only
                                                Sound. Although the values from the                     that New York ‘‘has for decades                       environmentally suitable dredged
                                                DMMP reflected substantial analysis                     opposed’’ dredged material disposal in                material can be approved for open-water
                                                and public input, the USACE agreed to                   Long Island Sound, the reality is more                disposal. Moreover, EPA’s existing
                                                reassess the capacity needs in                          nuanced. Over the years, as with the                  ocean dumping criteria concerning
                                                coordination with EPA. The USACE                        Connecticut shore of the Sound, harbors               whether there is a need for open-water
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                                                undertook this analysis and projected                   and marinas on the New York shore of                  disposal, see 40 CFR 227.15 and 227.16,
                                                that a disposal capacity of                             Long Island Sound have been dredged                   coupled with the new site use
                                                approximately 20 mcy would likely be                    and in some cases the sediments have                  restrictions applicable to the WLDS,
                                                sufficient to meet disposal needs over                  been placed at disposal sites in Long                 CLDS, and ELDS, see 40 CFR
                                                the next 30 years.                                      Island Sound, without objection from                  228.15(b)(4)–(6), will ensure that the
                                                   Comment #4. EPA received a letter                    New York (e.g., Mamaroneck Harbor).                   open-water disposal option is used only
                                                from New York Governor Andrew                           At other times, NY has not objected as                when the material is found to be


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                        87827

                                                suitable and no practicable alternatives                Sound, the NYSDOS/NYSDEC letter                       recommends designation of the CSDS to
                                                to open-water disposal are available.                   instead supports designating both the                 continue its role as a dispersal site for
                                                   EPA cannot and should not base a                     NBDS and the NLDS (as a ‘‘remediation                 clean, sandy material in order to ‘‘take
                                                decision not to designate an                            site’’) to provide disposal options in the            some pressure off’’ while supporting the
                                                environmentally appropriate disposal                    eastern Sound. EPA agrees that a                      designation of NBDS, both in lieu of
                                                site on as of yet unidentified upland                   disposal site should be designated in the             ELDS. NYSDOS and NYSDEC opposed
                                                management options that might or                        eastern Sound, but concludes that                     designation of CSDS because of the
                                                might not materialize in the future for                 designating the reconstituted ELDS is                 dispersive nature of the site.
                                                all the dredged material that needs to be               preferable to designating the NBDS and                   EPA received a joint letter from
                                                managed. Such an approach would pose                    NLDS.                                                 NYSDOS and NYSDEC that commented
                                                an irresponsible threat to safe navigation                 With regard to the Governor’s                      that there isn’t really a need for a site
                                                and the related recreational,                           concerns about the capacity at the                    in eastern Long Island Sound based on
                                                commercial, public safety, and national                 CLDS, WLDS, and RISDS, see Response                   historic disposal amounts and capacity
                                                defense activities that depend on it. If,               #3 above.                                             at other existing sites like the CLDS, but
                                                upon EPA designation of the ELDS,                          Comment #5. Among those                            recognized that some stakeholders in
                                                there is no actual need for the site (i.e.,             supporting the designation of ELDS, a                 the region need one, so they recommend
                                                practicable alternatives are available for              number of commenters suggested                        designation of the NBDS. They further
                                                every dredging project), then dredged                   revisions to the boundaries of the site               recommended designation of the NLDS
                                                material will not be placed there, as the               for a variety of reasons. Some suggested              as a ‘‘remediation site.’’ EPA received
                                                practicable alternatives will be used                   modifying the northern boundary to                    comments from others expressing
                                                instead.                                                avoid burial of rocky, hard-bottom areas              concern that designation of the NBDS
                                                   Contrary to the views in Governor                    that may provide relatively higher                    would contribute to cumulative impacts
                                                Cuomo’s letter, the joint comment letter                quality fish habitat, while others
                                                                                                                                                              to Niantic Bay, which is already stressed
                                                from the NYSDOS and NYSDEC                              suggested moving the eastern boundary
                                                                                                                                                              by the thermal discharge from the
                                                expressed recognition of both the need                  of the proposed ELDS to remove any
                                                                                                                                                              Millstone Nuclear Power Station.
                                                for dredging to support water-dependent                 portion of the site from the submarine
                                                                                                                                                              CTDEEP, while expressing support for
                                                activities and navigation infrastructure                transit corridor into the Thames River.
                                                                                                                                                              ELDS, also indicated that NBDS, in
                                                and ‘‘the importance of providing                       Comments from NYSDOS and NYSDEC
                                                                                                                                                              combination with ELDS, is a viable
                                                stakeholders with a range of options for                recommend buffer zones be established
                                                                                                                                                              option if adequate management
                                                management of dredged material in                       around bedrock and archeological areas
                                                                                                                                                              practices are in place at the site to
                                                LIS . . . .’’ Also contrary to the views                and included in the Site Management
                                                                                                                                                              ensure containment of dredged
                                                expressed in the Governor’s letter, the                 and Monitoring Plan (SMMP) for the
                                                NYSDOS/NYSDEC letter emphasizes                         ELDS.                                                 materials. Another commenter
                                                the State of New York’s commitment to                      Response #5. EPA agrees with the                   reluctantly supported designating NBDS
                                                ‘‘working with all partners to secure a                 comments to modify the disposal site                  as the lesser of evils, while still other
                                                path forward for achievable, measurable                 boundaries to avoid the bedrock and                   commenters opposed designation of the
                                                reductions in open water disposal over                  boulder areas and the submarine transit               NLDS and wanted that site closed. EPA
                                                time . . . ,’’ and noted that the state                 corridor. As discussed in detail above in             also received comments stating it
                                                had demonstrated this commitment by                     Section V, EPA is designating the ELDS                should have given more consideration
                                                NYSDOS’s recent concurrence with                        site with modifications to the                        to designating a site outside Long Island
                                                EPA’s amended Final Rule designating                    boundaries. EPA has redrawn the                       Sound, including in deep open-ocean
                                                the CLDS and WLDS, ‘‘which includes                     boundaries of the ELDS to exclude both                waters off Rhode Island and off the
                                                updated policies and procedures                         the rocky, hard-bottom area in the north              continental shelf.
                                                intended to meet this goal, and is                      central portion of the site, and another                 Response #6. While EPA did
                                                subject to the additional restrictions                  smaller rocky area in the southwestern                determine for the Proposed Rule that the
                                                agreed to by all Agencies involved.’’ The               corner of the site. Disposal in the ELDS              CSDS meets the site selection criteria
                                                state agencies’ letter further pointed out              near those areas will be carefully                    and could be designated in combination
                                                that the ‘‘[t]he proposed rule for eastern              managed, including establishing a 100-                with one of the other alternatives, and
                                                LIS contains the same restrictions as                   meter buffer, to avoid any adverse                    did seek comments on that position,
                                                those contained within the Final Rule                   impacts to these important habitat                    EPA ultimately decided not to designate
                                                for CLDS and WLDS, with the same                        features. EPA also has shifted the                    the CSDS. EPA agrees that the site is
                                                ultimate goal of the reduction in open                  eastern boundary of the ELDS to the                   dispersive and lies within a high energy
                                                water disposal over time.’’ EPA agrees                  west to remove it entirely from the                   area, which makes the site difficult to
                                                with NYSDOS and NYSDEC that the site                    submarine transit corridor. The eastern               manage and monitor. Further, use of
                                                use restrictions for the CLDS, WLDS,                    boundary of the ELDS site is now .367                 this site would need to be limited to
                                                and ELDS are well designed to pursue                    nmi west of the corridor. This shift of               receiving material such as sand, which
                                                and achieve the shared long-term goal of                the site also has moved it entirely out               EPA feels can and should typically be
                                                reducing or eliminating the open-water                  of New York waters.                                   used for beneficial uses, instead, such as
                                                disposal of dredged material in Long                       Comment #6. USACE provided                         beach nourishment. Finally, EPA has
                                                Island Sound. At the same time, these                   comments supporting designation of the                concluded that designating a single site
                                                restrictions do not obviate the need to                 Cornfield Shoals Disposal Site (CSDS).                is preferable to designating multiple
                                                designate an appropriate open-water                     The USACE would like a cost-effective                 sites because dredged material
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                                                disposal site in the eastern region of the              open-water alternative for the                        placement would be concentrated in
                                                Sound to provide an environmentally                     Connecticut River dredging center, and                one area and site management and
                                                sound disposal option for material that                 it states that the availability of the CSDS           monitoring demands would be reduced.
                                                cannot be managed in some other way.                    would help extend the useful life of the              EPA also has concluded that the ELDS
                                                While the Governor states opposition                    CLDS and ELDS by reducing reliance on                 will provide an adequate open-water
                                                and an intent to sue over any site being                those sites for placement of materials                disposal option by itself, while the
                                                designated in the eastern region of the                 suitable for CSDS. Another commenter                  CSDS would be insufficient by itself


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                                                87828            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                because of the restrictions for site use                relatively good species diversity and is              also considered issues such as the
                                                that EPA would place on it.                             not dominated by just a few species.                  cumulative effect on bottom depths that
                                                   Regarding the request to designate the               These data were consistent with                       would result from future disposal at the
                                                NBDS, based on the dredging needs                       observations at off-site locations outside            proposed disposal sites.
                                                assessment conducted by the USACE for                   of the NLDS, although the species                        EPA and the USACE will continue to
                                                the DMMP, and the subsequent, more                      richness was slightly lower at the off-               manage and monitor all Long Island
                                                refined dredged material disposal                       site stations (FSEIS Section 4.9.3 and                Sound disposal sites and will request
                                                capacity needs analysis by the USACE,                   Table 4–11). Toxicity testing conducted               input from the state agencies if there is
                                                EPA is confident that the ELDS is                       in 2013 indicated no potential toxicity               evidence of any adverse impacts. If
                                                sufficient by itself to meet all the open-              at the NLDS or other alternative sites                necessary, EPA and the USACE will
                                                water disposal needs of the eastern Long                (FSEIS Section 4.6.3 and (Table 4–9).                 modify the SMMPs for any site at which
                                                Island Sound region and EPA prefers to                  Finally, the majority of the NLDS is                  impacts have been identified, and
                                                designate a single site to serve the                    already near capacity, with much of the               would do so in consultation the states
                                                region. Therefore, there is no need to                  site already at depths that would                     of New York and Connecticut and other
                                                designate the NBDS, too. Moreover,                      prevent further placement of dredged                  interested parties, as appropriate.
                                                designating a second site would entail                  material. EPA is not designating the                     With respect to addressing comments
                                                additional monitoring and management                    NLDS and that site will close by                      received on various draft reports and
                                                work and expense that can be avoided.                   operation of law on December 23, 2016.                documents during the development of
                                                Finally, had EPA decided to designate                      Comment #7. NYSDOS and NYDDEC                      the DSEIS, EPA did take all comments
                                                the NBDS, it would only have                            opined that there were deficiencies in                into consideration and in some cases
                                                designated the containment portion of                   the DSEIS, such as an inadequate                      modified those documents accordingly.
                                                the site to ensure containment of the                   alternatives analysis, the absence of                 In other cases, EPA may have decided
                                                dredged material, which does not                        comprehensive biological monitoring,                  that modifications were not warranted
                                                provide enough capacity to meet the                     and an inadequate cumulative impact                   based on the comments submitted. EPA
                                                projected need. The question of whether                 assessment. They also suggested that                  solicited input throughout the
                                                designating the NBDS would cause                        comments they had provided earlier on                 development of the DSEIS through a
                                                adverse cumulative impacts on the                       draft sections of the DSEIS regarding                 ‘‘cooperating agency workgroup,’’ of
                                                ecology of Niantic Bay when viewed                      physical oceanography and biological                  which NYSDOS and NYSDEC were
                                                together with effects of the Millstone                  studies were not reflected in the final               regular participants, and from the public
                                                Nuclear Power Station thermal                           reports. They also expressed concern                  through an extensive public
                                                discharge is now moot because EPA is                    about the lack of information about the               involvement program. Agency and
                                                not designating the NBDS. With regard                   effectiveness of capping plans at the                 public input received during the three-
                                                to consideration of sites outside of Long               NLDS.                                                 and-a-half-year process was reflected in
                                                Island Sound, as discussed in Chapters                     Response #7. EPA finds the                         the DSEIS text or in the appendices or
                                                3, 4, and 5 in the DSEIS and in the                     alternatives analysis, biological                     both. Regarding the idea of ‘‘capping’’
                                                Proposed Rule, EPA considered a wide                    monitoring, and cumulative impact                     disposal mounds at the NLDS with new,
                                                range of alternatives, including sites in               assessment were all more than adequate.               clean dredged material, as discussed in
                                                Block Island Sound and on the                           The alternatives analysis included                    Response #7 above, EPA does not see
                                                continental shelf, before deciding to                   active and historic sites, as well as some            any reason to pursue this approach.
                                                propose designation of the ELDS. The                    other potential sites that had never been             Extensive long-term monitoring of the
                                                sites in Block Island Sound had a                       used before in eastern Long Island                    NLDS and surveys conducted in 2013
                                                combination of significant marine                       Sound, Block Island Sound, and off the                for the DSEIS have documented a
                                                habitats and strong tidal currents, and                 continental shelf south of Long Island.               healthy benthic community at the site,
                                                were relatively small or were located at                EPA also considered use of the CLDS,                  with no toxicity in the sediment.
                                                a comparatively long distance from the                  WLDS, and/or the RISDS to serve the                      Comment #8. Some of the
                                                dredging centers in the region. EPA’s                   eastern region of the Sound. In addition,             commenters who support the Proposed
                                                evaluation also determined that the long                and as informed by the USACE’s                        Rule believe that the site use restrictions
                                                distances and travel times between the                  DMMP, EPA considered beneficial use                   accompanying the site designation that
                                                dredging locations in eastern Long                      options and other non-open-water                      establish, among other things, standards
                                                Island Sound and the continental shelf                  options such as confined disposal cells               and procedures for identifying and
                                                posed significant environmental,                        (CDFs) or facilities (CDFs).                          utilizing alternatives to open-water
                                                operational, safety, and financial                         EPA’s cumulative impact assessment                 disposal, will help achieve the goal of
                                                concerns, rendering such options                        is based on over 40 years of monitoring               reducing or eliminating open-water
                                                unreasonable.                                           data on chemistry, toxicity,                          disposal of dredged material wherever
                                                   Finally, with regard to the suggestion               bioaccumulation, benthic health, and                  practicable. These commenters support
                                                that the NLDS be designated as a                        bathymetry to assess physical and                     the goal of reducing open-water
                                                ‘‘remediation site,’’ EPA disagrees.                    biological changes at the NLDS and                    placement of dredged material in the
                                                Long-term monitoring of the disposal                    CSDS sites. It also was based on an                   waters of Long Island Sound, but
                                                mounds at the NLDS, and surveys                         evaluation of the potential effects of                believe that it is not feasible or
                                                conducted in 2013 at all the alternative                designating the ELDS, NBDS, CSDS, or                  practicable at this time to handle all
                                                sites, indicate a healthy and diverse                   other site alternatives. Given that EPA               dredged material at upland locations or
                                                benthic community and no evidence of                    has not found significant adverse effects             at already designated dredged material
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                                                levels of contamination that would                      from past disposal at the NLDS or CSDS,               disposal sites. Some of those opposing
                                                require some sort of ‘‘remediation,’’                   and does not anticipate significant                   the designation recommended upland
                                                even if it could be determined what type                adverse effects from the future                       placement and beneficial use of dredged
                                                of remediation would be appropriate for                 placement of suitable material at the                 material, rather than disposing of it at
                                                a site in relatively deep water. The                    ELDS, it is not surprising that EPA did               open-water sites. One commenter
                                                ecological parameters and phyla data                    not find significant adverse cumulative               suggested ‘‘warehousing’’ material for
                                                indicate that, overall, the NLDS has                    impacts from the proposed action. EPA                 future use in response to sea level rise,


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                        87829

                                                another suggested consideration of on-                  appropriate. EPA expects that the                        Response #9. With respect to
                                                barge dewatering as a tool to facilitate                Steering Committee and RDT will,                      comments about EPA’s
                                                upland placement of dredged materials,                  generally and on a project specific basis,            mischaracterization of eastern Long
                                                and another commenter suggested the                     facilitate the process of matching                    Island Sound in terms of biological
                                                alternative of the creation of islands                  projects, beneficial use alternatives and             productivity, there was extensive
                                                near their sources.                                     the resources necessary to implement                  documentation in the DSEIS and its
                                                   Joint comments from NYSDOS and                       them. The process of continually                      supporting technical reports supporting
                                                NYSDEC expressed commitment to                          seeking new alternative uses for dredged              the conclusion that, while this region is
                                                ‘‘working with all partners to secure a                 material will provide the opportunity to              generally a highly productive and
                                                path forward for achievable, measurable                 evaluate approaches not yet fully                     diverse ecosystem, the area in which the
                                                reductions in open water disposal over                  developed, such as the ‘‘warehousing’’                ELDS is sited is less so. Compared with
                                                time . . . ,’’ and noted that the state                 suggestion. EPA views on-barge                        some of the hard-bottom, bedrock and
                                                had demonstrated this commitment by                     dewatering as a technique that, while                 boulder areas in other parts of the
                                                NYSDOS’s recent concurrence with                        expensive, has promise and should be                  region, the seafloor in the ELDS is
                                                EPA’s amended Final Rule designating                    explored and further evaluated by the                 relatively flat and sandy, without the
                                                the Central and Western Long Island                     Steering Committee and RDT.                           sort of structure that typically supports
                                                Sound Disposal Sites, ‘‘which includes                  Ultimately, it could be become a useful               a large diversity of fish or shellfish. At
                                                updated policies and procedures                         technique for dewatering dredged                      the same time, EPA has excluded two
                                                intended to help meet this goal, and is                 material to prepare it for management                 areas from the ELDS that do include the
                                                subject to the additional restrictions                  using methods other than open-water                   type of hard-bottom, bedrock and
                                                agreed to by all Agencies involved.’’ The               disposal. Managing dredged material by                boulder conditions that tend to provide
                                                state departments’ letter further pointed               using it to create islands was evaluated              relatively better marine habitat. As for
                                                out that the ‘‘[t]he proposed rule for                  in the DMMP. The concept of creating                  concerns about the data on fishing
                                                eastern LIS contains the same                           islands in waters of the United States                activity, EPA made an extensive effort to
                                                restrictions as those contained within                  raises numerous issues (e.g.,                         encourage as many fisherman as
                                                the Final Rule for CLDS and WLDS,                       environmental, water quality,                         possible to respond to the survey in
                                                with the same ultimate goal of the                      regulatory) and any proposal of this type             order to provide information that was as
                                                reduction in open water disposal over                   would need to go through a very                       accurate as possible for analysis. The
                                                time.’’                                                 involved regulatory process and would                 survey was made available for 37 days
                                                   Response #8. EPA agrees with the                     have to meet all legal requirements. This             and, as noted in the DSEIS, it was
                                                comment that the standards and                          is something the Steering Committee                   distributed via multiple media avenues.
                                                procedures in the Final Rule will                       and the RDT can consider in the future                Of 440 respondents, only 229 surveys
                                                support the goal of eliminating or                      if a proposal is developed.                           provided sufficient information (at least
                                                reducing open-water disposal. EPA also                     EPA agrees with the NY departments                 five questions answered), and very few
                                                agrees that relying solely on upland                    that the new site use restrictions, agreed            provided location-specific information
                                                management alternatives for all dredged                 upon by the interested state and federal              as to where they fished. Of the 229
                                                material from the eastern region of the                 agencies and inserted into the CLDS/                  respondents, only six percent indicated
                                                Sound is not feasible at this time. Such                WLDS regulations, include standards                   they fished near dredged material
                                                alternatives will, however, likely be                   and procedures to secure a path forward               disposal sites (one percent regularly and
                                                feasible for some of that material. For                 for achievable, measurable reductions in              five percent occasionally). There is no
                                                example, sandy material is commonly                     open-water disposal over time. EPA also               shellfishing in this area, and the closest
                                                used for beach and nearshore bar                        agrees that these same restrictions are               shellfish aquaculture operation is
                                                nourishment at the present time and the                 now also being applied to the ELDS. In                several miles west of the ELDS and
                                                standards in the Final Rule expect that                 EPA’s view, it makes sense to treat all               closer to shore.
                                                sandy material will continue to be used                 regions of Long Island Sound the same                    EPA did not gloss over the existence
                                                beneficially. In addition, it would be                  in this regard.                                       of EFH in the vicinity of the ELDS. As
                                                impracticable to rely on distant open-                     Comment #9. EPA received a number                  required by the Magnuson-Stevens
                                                water sites outside the eastern region of               of comments concerning potential                      Fisheries Conservation and Management
                                                the Sound, or on contained in-water                     impacts on aquatic species including                  Act, EPA coordinated with the NOAA
                                                disposal, for all dredged material from                 fish, lobsters and oysters. Some                      National Marine Fisheries Service
                                                the eastern Sound. See 40 CFR 227.15                    expressed concern that the DSEIS: (1)                 (NMFS) to determine whether its
                                                and 227.16(b).                                          Incorrectly portrays eastern Long Island              proposal to designate the ELDS would
                                                   Ultimately, decisions about how                      Sound as ‘‘a barren desert with barely                cause adverse impacts to EFH. NMFS
                                                particular dredged material will be                     any fish or shellfish species,’’ based in             concurred with EPA’s determination
                                                managed will be made in individual                      part on what they characterized as an                 that the designation of the ELDS would
                                                project-specific reviews under the                      inadequate data collection effort; (2)                not adversely affect EFH. The
                                                MPRSA and/or the CWA, with                              ‘‘glosses over’’ the fact that parts of the           coordination process is fully
                                                additional overview and coordination                    area are federally-designated Essential               documented in the DSEIS.
                                                provided by the Long Island Sound                       Fish Habitat (EFH); and (3) minimizes                    EPA assessed lobster abundance in
                                                Steering Committee and Regional                         the potential impacts of dredged                      the DSEIS and found that alternative
                                                Dredging Team (RDT), as described in                    material disposal on ‘‘struggling lobster             sites do not contain preferred habitat for
                                                the site use restrictions. The Steering                 populations.’’ Another commenter                      lobsters. Prior to 1999, lobsters were
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                                                Committee and RDT have a number of                      noted that the NLDS is adjacent to                    very abundant throughout Long Island
                                                important roles specified in the site use               Fisher’s Island, NY, where oyster                     Sound, and particularly in the western
                                                for the ELDS, including the                             harvesting has been a way of life for                 and central regions. However since the
                                                identification and piloting of beneficial               centuries, and the threat to water quality            major lobster die-off in 1999, lobsters
                                                use alternatives, identifying possible                  posed by an expansion of open-water                   are far less abundant through the Sound,
                                                resources to support those alternatives,                dumping at this site translates directly              and found primarily in the deeper
                                                and eliminating regulatory barriers, as                 to a loss of important seafood jobs.                  waters of the central basin and The


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                                                87830            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                Race. The 1999 lobster die-off prompted                 Final Rule would allow the disposal of                organisms to Federal Drug
                                                millions of dollars in research over the                toxic material at the sites. Rigorous                 Administration (FDA) Action/Tolerance
                                                past 16 years, the results of which have                physical, chemical, and biological                    Levels for an assessment of potential
                                                led scientists and resource managers to                 testing and analysis of sediments is                  human health impacts and to Ecological
                                                believe that the phenomenon was                         conducted prior to any authorization to               Effect Values for an assessment of
                                                caused by a combination of factors,                     dredge. The MPRSA and EPA’s ocean                     ecological impacts. Ecological Effects
                                                including increased water temperatures,                 dumping regulations provide that                      Values represent tissue contaminant
                                                low dissolved oxygen levels (hypoxia),                  sediments that do not pass these tests                concentrations believed to be safe for
                                                a parasitic disease (paramoeba), and                    are considered ‘‘unsuitable’’ and shall               aquatic organisms, generally derived
                                                possibly pesticide runoff. Researchers                  not be disposed of at the site.                       from the final chronic value of USEPA
                                                have not cited dredged material disposal                   EPA believes concerns about the                    water quality criteria. The FDA Action/
                                                as a possible factor in the die-off.                    disposal of toxic sediments at the NLDS               Tolerance Levels and Ecological Effect
                                                   EPA does not agree that designating                  and other Long Island Sound disposal                  Values are commonly used by USEPA
                                                the ELDS will threaten oystering and the                sites also have been addressed by the                 and USACE in the dredging program to
                                                way-of-life of residents of Fisher’s                    USACE’s DAMOS program, which has                      assess risk. This evaluation considers
                                                Island, NY, or cause the loss of jobs in                collected data at these sites since the               that tissue contaminant concentrations
                                                the seafood industry. The boundaries of                 late 1970s. The program has generated                 that do not exceed FDA Action/
                                                the ELDS have been revised so that it is                over 200 detailed reports addressing                  Tolerance Levels or Ecological Effect
                                                farther from Fisher’s Island, entirely                  questions and concerns related to                     Values do not result in a potential
                                                outside of the NLDS, and entirely                       placement of dredged material in the                  human health or ecological risk. There
                                                outside of New York State waters. EPA’s                 Sound. These reports indicate that toxic              is no evidence in the current literature
                                                evaluation of the ELDS indicates that                   sediments are not being placed at open-               or other data evaluated by EPA to
                                                designation of the site will not cause                  water disposal sites. Moreover,                       support a causative link between any
                                                significant adverse effects to water                    sequential surveys of biological                      elevated cancer rates that may exist in
                                                quality or aquatic organisms or their                   conditions at sites following the                     East Lyme and dredged material
                                                habitat. As a result, the site designation              placement of dredged material                         disposal in Long Island Sound.
                                                will not cause lost jobs in the seafood                 consistently show a rapid recovery of                    Shellfish bed closures are typically a
                                                industry. To the contrary, designation of               the benthic community to that of the                  result of bacterial contamination from
                                                the ELDS may assist the local seafood                   surrounding habitat outside the disposal              untreated or poorly treated sanitary
                                                industry. Fishing vessels require                       sites. Monitoring at the NLDS has                     wastewater, stormwater runoff, marine
                                                adequate navigation channels and                        verified that past management practices               biotoxins, or elevated water
                                                berthing areas, which are maintained as                 have been successful in adequately                    temperatures. There is no evidence that
                                                a result of dredging. Designation of the                controlling any potential adverse                     shellfish harvesting in Long Island
                                                ELDS should facilitate needed dredging                  impacts to water quality and benthic                  Sound, most of which is from
                                                by providing an open-water disposal                     habitat.                                              aquaculture operations conducted in
                                                option for use when practicable                            Furthermore, water and sediment                    open waters off the coast, is, or will be,
                                                alternative management methods are not                  quality have improved in Long Island                  affected by dredged material disposal at
                                                available.                                              Sound as a result of improvements in                  the ELDS.
                                                   Comment #10. Some of those                           the control of point source and non-                     Regarding comments about older
                                                opposing the Proposed Rule stated that                  point source pollutant discharges to the              studies referenced in the DSEIS, such as
                                                the dredged material is toxic and should                Sound and its tributaries. At the same                those conducted in support of the 2004
                                                not be placed in the waters of Long                     time, dredging and dredged material                   EIS that supported the designation of
                                                Island Sound, and requested                             management are carefully controlled by                the CLDS and WLDS, EPA used the best
                                                remediation of such dredged material.                   federal and state agencies to optimize                available literature during the
                                                Commenters questioned the use of older                  environmental results using tools such                development of the DSEIS. Some of this
                                                data to support the evaluation of                       as ‘‘environmental windows’’ that                     material was older and some was more
                                                dredged material for its suitability for                preclude dredging when sensitive                      recent. EPA also has included as part of
                                                open-water disposal. Some commenters                    aquatic organisms in the vicinity of                  the FSEIS relevant data from more
                                                noted concern with the introduction of                  dredging operations would be at an                    recent studies (such as fisheries data)
                                                nitrogen from dredged material into the                 increased risk of being harmed, CAD                   that were not available at the time the
                                                system and requested that EPA estimate                  cells or CDFs that sequester unsuitable               DSEIS was published. In all cases, EPA
                                                the quantity of nitrogen that would be                  dredged material, and beneficial use                  evaluated whether the data was relevant
                                                added to the system from dredged                        projects that avoid open-water disposal               and appropriate for addressing whatever
                                                material over the next 30 years. EPA                    of dredged material that can be better                issue was at hand. While some
                                                also received comments regarding                        put to an alternative use (e.g., using                parameters may change constantly,
                                                concern due to metal or organic                         sand for beach nourishment). This                     others remain consistent for long
                                                contaminant concentrations in sediment                  management approach is reflected in the               periods of time. Typically, older data
                                                and benthic organism tissues, elevated                  site use restrictions for ELDS that are               were supplemented with newer data, or
                                                breast cancer rates in East Lyme, and                   intended to reduce or eliminate the                   juxtaposed to newer data, to help depict
                                                closed shellfish harvesting areas                       open-water disposal of dredged material               trends and patterns in the study area.
                                                following rainfall. Some commenters                     into Long Island Sound by promoting                      As to the concern about dredged
                                                suggested that the CTDEEP Remediation                   and facilitating the use of available                 material disposal in Long Island Sound
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                                                Standard Regulations should be                          practicable alternatives to such open-                contributing to nitrogen loading in these
                                                followed for disposal of dredged                        water disposal.                                       waters, EPA notes that nitrogen loading
                                                material in Long Island Sound.                             Potential risks associated with the                is a concern due to its potential to help
                                                   Response #10. EPA strongly disagrees                 bioaccumulation of chemicals from                     fuel excessive algae levels, which could
                                                with the suggestion that toxic sediments                sediments at the alternative sites were               be one potential driver of hypoxia in
                                                will be disposed of at the ELDS. Neither                evaluated by comparing contaminant                    western Long Island Sound. In Chapter
                                                the existing laws and regulations nor the               concentrations in tissues of test                     5.2.1 of the DSEIS, however, EPA


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                        87831

                                                discussed the relative insignificance of                travel route, which they still use for                   Finally, regarding the Shinnecock
                                                nitrogen loading from dredged material                  canoe journeys.                                       using the waters of Long Island Sound
                                                disposal. The USACE also addressed the                     Response #11. EPA acknowledges and                 for canoe journeys, nothing about the
                                                issue in Section 3.5.2 of the DMMP. The                 respects the Shinnecock Tribal Nation’s               designation of the ELDS should interfere
                                                annual placement of dredged material at                 stewardship, concern, and reliance                    with or preclude such journeys. First,
                                                the open-water sites is estimated to add                upon the waters of Long Island Sound.                 the dredging (and therefore dredged
                                                less than one tenth of one percent of the               As tasked by Congress under the CWA                   material disposal) season is restricted to
                                                overall annual nitrogen loading to Long                 and MPRSA, EPA also is a steward of                   avoid the warmer weather months for
                                                Island Sound.                                           Long Island Sound with a mission of                   ecological reasons, but this also ensures
                                                   Finally, EPA disagrees with the                      protecting its physical, chemical, and                that dredging traffic and disposal is less
                                                request to follow the CTDEEP                            biological integrity, and protecting                  likely to interfere with other boating
                                                Remediation Standard Regulations                        human and ecological health from harm                 activities that tend to be occur during
                                                (RSRs). The RSRs are not applicable to                  that could result from the disposal of                warmer weather. Second, any dredged
                                                dredged material from marine waters                     material into these waters. As a result,              material disposal would be concentrated
                                                placed at open-water disposal sites.                    EPA believes that its goals align well                in one offshore area as a result of
                                                Rather, they ‘‘identify the technical                   with the environmental interests of the               designating the ELDS. This would tend
                                                standards for the remediation of                        Shinnecock Tribal Nation.                             to minimize any conflicts with non-
                                                environmental pollution at hazardous                       With regard to the possibility that                dredging-related navigation. Finally,
                                                waste sites and other properties that                   dredged material disposal might further               multiple types of navigational activities
                                                have been subject to a spill, release or                bury submerged evidence of settlements                (e.g., recreational, commercial, military)
                                                discharge of hazardous wastes or                        of the Shinnecock’s ancestors, EPA                    have coexisted with dredged material
                                                hazardous substances.’’ The MPRSA                       notes that it is currently unaware of any             disposal-related navigation for years in
                                                and Ocean Dumping Regulations limit                     specific reason to believe that such                  Long Island Sound and EPA expects
                                                the potential for adverse environmental                 submerged evidence may exist at the                   that this will continue after designation
                                                impacts associated with dredged                         ELDS or the other site alternatives. In               of the ELDS.
                                                material disposal by requiring that the                                                                          Comment #12. EPA received a
                                                                                                        evaluating site alternatives, EPA
                                                dredged material from each proposed                                                                           number of very specific and detailed
                                                                                                        considered the site selection criteria in
                                                dredging project be subject to sediment                                                                       comments on aspects of the studies and
                                                                                                        EPA’s regulations, which include
                                                testing requirements. Suitability is                                                                          findings in the DSEIS and its
                                                                                                        whether ‘‘any significant natural or
                                                determined by analyzing the sediments                                                                         appendices. Subjects included the
                                                                                                        cultural features of historical
                                                proposed for dredging for their physical                                                                      physical oceanography study in
                                                                                                        importance’’ may exist ‘‘at or in close
                                                characteristics as well as for toxicity and                                                                   Appendix C, physical energy and
                                                                                                        proximity to’’ the disposal sites. See 40
                                                bioaccumulation. If it is determined that                                                                     hydrodynamics, sediments, and tidal
                                                                                                        CFR 228.6(a)(11). EPA’s consideration of
                                                the sediment is unsuitable for open-                                                                          energy projects, among others.
                                                                                                        this criterion dovetailed with its                       Response #12. EPA’s detailed
                                                water disposal—that is, that it may
                                                unreasonably degrade or endanger                        consultation with the State Historic                  responses to these comments are
                                                human health or the marine                              Preservation Officers of both                         contained in the Response to Comments
                                                environment—it cannot be placed at                      Connecticut and New York, as well as                  document that is included in the FSEIS
                                                disposal sites designated under the                     its consultation with the Shinnecock                  as Appendix J and placed in the public
                                                MPRSA.                                                  Indian Nation. In addition, EPA                       docket and on the Web site identified in
                                                   Comment #11. EPA received                            conducted side-scan sonar survey work                 the ADDRESSES section of this document.
                                                comments from the Shinnecock Tribal                     to look for possible historic resources in
                                                                                                        the area of the disposal sites and none               VII. Changes From Proposed Rule
                                                Nation noting the tribe’s longstanding
                                                reliance on the waters of Long Island                   of this work identified any                              In response to public comment, as
                                                Sound for ‘‘food, travel and spiritual                  archaeological or historical artifacts of             previously described, EPA has made
                                                renewal.’’ The Shinnecock have high                     cultural significance. If later                       certain adjustments to the boundaries of
                                                regard for these waters and, as a steward               investigations identify the presence of               the ELDS as it was proposed. These
                                                for this resource, feel a shared                        submerged artifacts of cultural                       adjustments have reduced the size of the
                                                responsibility to protect it and to speak               importance to the Shinnecock Indian                   ELDS from approximately 1 x 2 nm to
                                                for other life forms that rely on it but                Nation, EPA will consult with the tribe               approximately 1 x 1.5 nm (and an area
                                                cannot speak for themselves. The                        regarding how to respond appropriately                of 1.3 nmi2), and the capacity of the site
                                                Shinnecock’s comments note that work                    in terms of the future use and                        from 27 mcy to approximately 20 mcy.
                                                is beginning to investigate whether                     management of the site.                               The specific boundary adjustments and
                                                ‘‘submerged paleo cultural landscapes’’                    As discussed in detail elsewhere in                the reasons for them have been
                                                exist that would indicate that the tribe’s              the preamble, no significant adverse                  discussed above and are further
                                                ancestors lived farther offshore than                   effects will occur to water quality,                  discussed below.
                                                currently understood. The tribe                         habitat value, or marine organisms, as a                 EPA also has decided not to designate
                                                expresses concern that dredged material                 result of using the ELDS as a dredged                 the NBDS or CSDS. In the Proposed
                                                placement at an open-water site could                   material disposal site. With regard to the            Rule, EPA did not propose to designate
                                                further bury any evidence of such sites.                concern expressed about possible                      either of these two sites, but did request
                                                The tribe also expresses concern over                   impacts to whales, EPA evaluated the                  public comment on whether either or
                                                how long it takes aquatic organisms to                  potential for the site designation to                 both ought to be designated in addition
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                                                recover from open-water placement of                    affect endangered species, including                  to, or instead of, the ELDS. EPA
                                                dredged material and whether such                       whales, and concluded that adverse                    received some public comments
                                                placement at a designated site will                     effects to whales or their critical habitat           favoring designation of the NBDS or
                                                adversely affect whales. Finally, the                   were unlikely to result from the site                 CSDS, and other comments opposing
                                                Shinnecock note that their concern over                 designation. The National Marine                      the designation of either site. Some
                                                water pollution is related to their                     Fisheries Service concurred with EPA’s                commenters favored designation of the
                                                historic use of Long Island Sound as a                  conclusion.                                           ELDS, while others commented that no


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                                                87832            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                designated disposal site was needed in                  but neither will be available after                   discusses the Agency’s compliance with
                                                the eastern portion of the Sound. After                 December 23, 2016, when their                         site management and monitoring
                                                considering all these comments, EPA                     Congressionally-authorized term of use                requirements.
                                                decided to designate only the ELDS.                     expires.                                                 EPA’s evaluation considered whether
                                                This decision was based primarily on                       The Ocean Dumping Regulations, see                 there was a need to designate one or
                                                the Agency’s determination that one site                generally 40 CFR subchapter H,                        more disposal sites for long-term
                                                is sufficient to meet the dredging needs                prescribe general and specific criteria at            dredged material disposal, including an
                                                of the eastern Long Island Sound region,                40 CFR 228.5 and 228.6, respectively, to              assessment of whether other dredged
                                                and that the ELDS is the best site when                 guide EPA’s choice of disposal sites for              material management methods could
                                                evaluated in light of the site selection                final designation. Ocean dumping sites                reasonably be judged to obviate the need
                                                criteria in the Ocean Dumping                           designated on a final basis are                       for such designations. From this
                                                Regulations. EPA also received public                   promulgated by EPA at 40 CFR 228.15.                  evaluation, EPA concluded that one or
                                                comments that support this decision.                    See 40 CFR 228.4(e)(1). Section 102(c) of             more open-water disposal sites were
                                                   The Final Rule for the ELDS, as with                 the MPRSA, 33 U.S.C. 1412(c), and 40                  needed. EPA then assessed whether
                                                the Proposed Rule, incorporates by                      CFR 228.3 also establish requirements                 sites were available that would satisfy
                                                reference the site use restrictions,                    for EPA’s ongoing management and                      the applicable environmental criteria to
                                                including the standards and procedures,                 monitoring, in conjunction with the                   support a site designation under
                                                contained in the final amended site                     USACE, of disposal sites designated by                MPRSA section 102(c). In deciding to
                                                designation rule for the Central and                    EPA. This enables EPA to ensure that                  designate the ELDS, as specified in this
                                                Western Long Island Sound dredged                       unacceptable, adverse environmental                   Final Rule, EPA complied with all
                                                material disposal sites. These                          impacts do not occur from the                         applicable procedural requirements and
                                                restrictions are further described in                   placement of dredged material at                      substantive criteria under the MPRSA
                                                Section IX (‘‘Restrictions’’).                          designated sites. Examples of site                    and EPA regulations.
                                                                                                        management and monitoring measures
                                                VIII. Compliance With Statutory and                                                                           1. Procedural Requirements
                                                                                                        employed by EPA and the USACE
                                                Regulatory Authorities                                                                                           MPRSA sections 102(c) and 103(b)
                                                                                                        include the following: Regulating the
                                                  EPA has conducted the dredged                         times, rates, and methods of disposal, as             indicate that EPA may designate ocean
                                                material disposal site designation                      well as the quantities and types of                   disposal sites for dredged material. EPA
                                                process consistent with the                             material that may be disposed;                        regulations at 40 CFR 228.4(e) specify
                                                requirements of the MPRSA, NEPA,                        conducting pre- and post-disposal                     that dredged material disposal sites will
                                                CZMA, the Endangered Species Act                        monitoring of sites; conducting disposal              be ‘‘designated by EPA promulgation in
                                                (ESA), the Magnuson-Stevens Fishery                     site evaluation studies; and, if                      this [40 CFR] part 228 . . . .’’ EPA
                                                Conservation and Management Act                         warranted, recommending modification                  regulations at 40 CFR 228.6(b) direct
                                                (MSFCMA), and any other applicable                      of site use and/or designation                        that if an EIS is prepared by EPA to
                                                legal requirements.                                     conditions and restrictions. See also 40              assess the proposed designation of one
                                                                                                        CFR 228.7, 228.8, 228.9.                              or more disposal sites, it should include
                                                A. Marine Protection, Research, and                                                                           the results of an environmental
                                                                                                           A disposal site designation by EPA
                                                Sanctuaries Act                                                                                               evaluation of the proposed disposal
                                                                                                        does not actually authorize the disposal
                                                   Section 102(c) of the MPRSA, as                      of particular dredged material at that                site(s). In addition, the Draft SEIS
                                                amended, 33 U.S.C. 1412(c), et seq.,                    site. It only makes the site available as             (DSEIS) should be presented to the
                                                gives the Administrator of EPA                          a possible management option if various               public along with a proposed rule for
                                                authority to designate sites where ocean                other conditions are met first. Disposal              the proposed disposal site
                                                disposal of dredged material may be                     of dredged material at a designated site              designation(s), and a Final SEIS (FSEIS)
                                                permitted. See also 33 U.S.C. 1413(b)                   must first be authorized by the USACE                 should be provided at the time of final
                                                and 40 CFR 228.4(e). Neither statute nor                under MPRSA section 103(b), subject to                rulemaking for the site designation.
                                                regulation specifically limits how long                 EPA review under MPRSA 103(c).                           EPA has complied with all procedural
                                                an EPA-designated disposal site may be                  USACE authorization can only be                       requirements. The Agency prepared a
                                                used. Thus, EPA site designations can                   granted if: (1) It is determined that there           thorough environmental evaluation of
                                                be for an indefinite term and are                       is a need for open-water disposal for                 the site proposed for designation and
                                                generally thought of as long-term                       that project (i.e., that there are no                 other alternative sites and courses of
                                                designations. EPA may, however, place                   practicable alternatives to such disposal             action (including the option of not
                                                various restrictions or limits on the use               that would cause less harm to the                     designating an open-water disposal
                                                of a site based on the site’s capacity to               environment); and (2) the dredged                     site). This evaluation was first presented
                                                accommodate dredged material or other                   material is found suitable for open-                  in a DSEIS (and related documents) and
                                                environmental concerns. See 33 U.S.C.                   water disposal by satisfying the                      a Proposed Rule for promulgation of the
                                                1412(c).                                                applicable environmental criteria                     disposal sites. EPA published the
                                                   Section 103(b) of the MPRSA, 33                      specified in EPA’s regulations at 40 CFR              Proposed Rule and a notice of
                                                U.S.C. 1413(b), provides that any ocean                 part 227. See 40 CFR 227.1(b), 227.2,                 availability of the DSEIS (81 FR 24748)
                                                disposal of dredged material should                     227.3, 227.5, 227.6 and 227.16. An                    for a 60-day public comment period on
                                                occur at EPA-designated sites to the                    authorization for disposal also must                  April 27, 2016, and subsequently
                                                maximum extent feasible. In the absence                 satisfy other applicable legal                        extended the comment period by 21
                                                of an available EPA-designated site,                    requirements, such as those under the                 days (to July 18, 2016) to give the public
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                                                however, the USACE is authorized to                     ESA, the MSFCMA, the CWA (including                   additional time to comment on the
                                                ‘‘select’’ appropriate disposal sites.                  any applicable state water quality                    proposed site designation. By this Final
                                                There are currently no EPA-designated                   standards), NEPA, and the CZMA. The                   Rule, EPA is now completing the
                                                dredged material disposal sites in the                  text below discusses EPA’s evaluation of              designation of the ELDS by
                                                eastern portion of Long Island Sound.                   the ELDS for this Final Rule using the                promulgation in 40 CFR part 228.
                                                There are two active USACE-selected                     applicable site selection criteria from                  Finally, MPRSA sections 102(c)(3)
                                                sites in that region, the NLDS and CSDS,                EPA’s MPRSA regulations. It also                      and (4) dictate that EPA must, in


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                         87833

                                                conjunction with the USACE, develop a                   only has this activity not significantly              determined as part of the disposal site
                                                site management plan for each dredged                   interfered with the uses identified in                evaluation (40 CFR 228.5(d)).
                                                material disposal site it proposes to                   this criterion, but mariners in the area                 EPA has determined, based on the
                                                designate. MPRSA section 102(c)(3) also                 are accustomed to dealing with the                    information presented in the FSEIS, that
                                                states that in the course of developing                 presence of a dredged material disposal               the ELDS, in its final configuration, is
                                                such management plans, EPA and the                      site. With the adjustment to the eastern              sufficiently limited in size to allow for
                                                USACE must provide an opportunity for                   boundary of the ELDS, EPA is even                     the identification and control of any
                                                public comment. EPA and the USACE                       more confident that the site will not                 immediate adverse impacts, and to
                                                have met this obligation by publishing                  pose a hazard to navigation. Finally,                 permit the implementation of effective
                                                for public review and comment a Draft                   time-of-year restrictions (also known as              monitoring and surveillance to prevent
                                                SMMP for the ELDS. The Draft SMMP                       ‘‘environmental windows’’) imposed to                 adverse long-term or cumulative
                                                was published with the DSEIS (as                        protect fishery resources will typically              impacts. To put things in perspective,
                                                Appendix I) and the proposed rule on                    limit dredged material disposal                       the size of the ELDS is approximately
                                                April 27, 2016. After considering public                activities to the months of October                   1.3 nmi2, which is just 0.003 (0.03
                                                comments regarding the SMMP, EPA                        through April, thus further minimizing                percent) of the approximately 370 nmi2
                                                and the USACE are publishing the Final                  any possibility of interference with the              surface area of the eastern Long Island
                                                SMMP for the ELDS as Appendix I of                      various activities specified in this                  Sound region, and just 0.001 (less than
                                                the FSEIS.                                              criterion.                                            one-tenth of one-percent) of the
                                                                                                           ii. Sites must be situated such that               approximately 1300 nmi2 surface area of
                                                2. Disposal Site Selection Criteria                     temporary perturbations to water quality              the entire Long Island Sound. The
                                                   EPA regulations under the MPRSA                      or other environmental conditions                     designation of just this one site reduces
                                                identify four general criteria and 11                   during initial mixing caused by disposal              the overall number of active disposal
                                                specific criteria for evaluating locations              operations would be reduced to normal                 sites in Long Island Sound from four to
                                                for the potential designation of dredged                ambient levels or to undetectable                     three. The long history of dredged
                                                material disposal sites. See 40 CFR                     contaminant concentrations or effects                 material disposal site monitoring in
                                                228.4(e), 228.5 and 228.6. EPA’s                        before reaching any beach, shoreline,                 New England through the USACE’s
                                                evaluation of the ELDS with respect to                  marine sanctuary, or known                            Disposal Area Monitoring System
                                                the four general and 11 specific criteria               geographically limited fishery or                     (DAMOS), and specifically at active and
                                                was discussed in the DSEIS and the                      shellfishery (40 CFR 228.5(b)).                       historic dredged material disposal sites
                                                Proposed Rule and is further discussed                     EPA’s analysis concludes that the                  in Long Island Sound, provides ample
                                                in detail in the FSEIS and supporting                   ELDS, as adjusted for this Final Rule,                evidence that these surveillance and
                                                documents and is summarized below.                      satisfies this criterion. First, the site is          monitoring programs are effective at
                                                                                                        a significant distance from any beach,                determining physical, chemical, and
                                                a. General Criteria (40 CFR 228.5)
                                                                                                        shoreline, marine sanctuary (in fact,                 biological impacts at dredged material
                                                   EPA has determined that the ELDS                     there are no federally-designated marine              disposal sites such as the ELDS.
                                                satisfies the four general criteria                     sanctuaries in Long Island Sound), or                    The boundaries of the ELDS are
                                                specified in 40 CFR 228.5. This is                      known geographically limited fishery or               identified by specific coordinates
                                                discussed in Chapter 5 and summarized                   shellfishery. Second, the site will be                provided in Table 5–11 of the FSEIS,
                                                in Table 5–9, ‘‘Summary of Impacts for                  used only for the disposal of dredged                 and the use of precision navigation
                                                Action and No Action Alternatives of                    material determined to be suitable for                equipment in both dredged material
                                                the FSEIS.’’                                            open-water disposal by application of                 disposal operations and monitoring
                                                   i. Sites must be selected to minimize                the MPRSA’s ocean dumping criteria.                   efforts will enable accurate disposal
                                                interference with other activities in the               See 40 CFR part 227. These criteria                   operations to be conducted, and also
                                                marine environment, particularly                        include provisions related to water                   will contribute to effective management
                                                avoiding areas of existing fisheries or                 quality and account for initial mixing.               and monitoring of the sites. Detailed
                                                shellfisheries, and regions of heavy                    See 40 CFR 227.4, 227.5(d), 227.6(b) and              plans for the management and
                                                commercial or recreational navigation                   (c), 227.13(c), 227.27, and 227.29. Data              monitoring of the ELDS are described in
                                                (40 CFR 228.5(a)).                                      evaluated during development of the                   the SMMP (Appendix I of the FSEIS).
                                                   EPA’s evaluation determined that use                 FSEIS, including data from monitoring                 Finally, as discussed herein and in the
                                                of the ELDS—as modified in this Final                   conducted during and after past                       FSEIS, EPA has tailored the boundaries
                                                Rule in response to public comments                     disposal activities, indicates that any               of the ELDS, and site management
                                                and further evaluation—would cause                      temporary perturbations in water                      protocols, in light of site characteristics
                                                minimal interference with the aquatic                   quality or other environmental                        such as local currents and bottom
                                                activities identified in this criterion.                conditions at the site during initial                 features, so that the area and boundaries
                                                The site is not located in shipping lanes               mixing from disposal operations will be               of the sites are optimized for
                                                or any other region of heavy commercial                 limited to the immediate area of the site             environmentally sound dredged
                                                or recreational navigation. In addition,                and will neither cause any significant                material disposal operations.
                                                the site is not located in an area that is              environmental degradation at the site                    iv. EPA will, wherever feasible,
                                                important for commercial or                             nor reach any beach, shoreline, marine                designate ocean dumping sites beyond
                                                recreational fishing or shellfish                       sanctuary, or other important natural                 the edge of the continental shelf and
                                                harvesting. Analysis of this data                       resource area.                                        other such sites that have been
                                                indicated that use of the site would have                  iii. The sizes of disposal sites will be           historically used (40 CFR 228.5(e)).
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                                                minimal potential for interfering with                  limited in order to localize for                         EPA evaluated sites beyond the edge
                                                other existing or ongoing uses of the                   identification and control any                        of the continental shelf and historical
                                                marine environment in and around the                    immediate adverse impacts, and to                     disposal sites in Long Island Sound as
                                                ELDS, including lobster harvesting or                   permit the implementation of effective                part of the alternatives analysis
                                                fishing activities. In addition, the nearby             monitoring and surveillance to prevent                conducted for the FSEIS. The
                                                NLDS has been used for dredged                          adverse long-range impacts. Size,                     continental shelf extends about 60 nmi
                                                material disposal for many years; not                   configuration, and location are to be                 seaward from Montauk Point, New


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                                                87834            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                York, and a site located on the                         preferable location. Thus, designation of                EPA considered the ELDS, as
                                                continental slope would result in a                     the ELDS would be consistent with this                modified for this Final Rule, in relation
                                                transit of approximately 80 nmi from                    criterion.                                            to breeding, spawning, nursery, feeding,
                                                New London. This evaluation                                                                                   and passage areas for adult and juvenile
                                                                                                        b. Specific Criteria (40 CFR 228.6)
                                                determined that the long distances and                                                                        phases (i.e., life stages) of living
                                                travel times between the dredging                          In addition to the four general criteria           resources in Long Island Sound. From
                                                locations in eastern Long Island Sound                  discussed above, 40 CFR 228.6(a) lists                this analysis, EPA concluded that, while
                                                and the continental shelf posed                         eleven specific factors to be used in                 disposal of suitable dredged material at
                                                significant environmental, operational,                 evaluating the impact of using a site for             the ELDS would cause some short-term,
                                                safety, and financial concerns, rendering               dredged material disposal under the                   localized effects, overall it would not
                                                such options unreasonable and not                       MPRSA. Compliance with the eleven                     cause adverse effects to the habitat
                                                practicable. Environmental concerns                     specific criteria is discussed below. It is           functions and living resources specified
                                                include increased risk of encountering                  also discussed in detail in Chapter 5 and             in the above criterion.
                                                endangered species during transit,                      summarized in Table 5–13, ‘‘Summary                      The ELDS does not encompass or
                                                increased fuel consumption and air                      of Impacts at the Alternative Sites,’’ of             infringe upon any breeding, spawning,
                                                emissions, and greater potential for                    the FSEIS.                                            nursery, feeding or passage area of
                                                accidents in transit that could lead to                    i. Geographical Position, Depth of                 particular or heightened importance for
                                                dredged material being dumped in                        Water, Bottom Topography and                          juvenile or adult living resources. That
                                                unintended areas.                                       Distance From Coast (40 CFR                           said, EPA has noted that in the north-
                                                                                                        228.6(a)(1)).                                         central area of the ELDS as delineated
                                                   As described in Section V (‘‘Disposal
                                                                                                           Water depths at the ELDS range from                in the Proposed Rule, there is a hard-
                                                Site Description’’), while the ELDS, as
                                                                                                        approximately 59 feet (18 m) in the                   bottom area with rocky outcroppings
                                                modified, does not include any areas
                                                                                                        north to 100 feet (30 m) in the south. As             that appears likely to constitute high
                                                that have been used historically for
                                                                                                        described above, the closest points of                quality habitat for fish and other aquatic
                                                dredged material disposal, its eastern
                                                                                                        land to the site are Harkness Memorial                organisms, and there is a similar hard
                                                boundary is the western boundary of the
                                                                                                        State Park in Waterford, Connecticut,                 bottom area in the extreme
                                                historically used NLDS. Thus, the
                                                                                                        approximately 1.1 nmi to the north, and               southwestern corner of the ELDS. As a
                                                modified site is in the general vicinity                                                                      result, EPA has redrawn the northern
                                                of the historically used NLDS. To the                   Fishers Island, New York,
                                                                                                        approximately 2.3 nmi to the east. Based              and southern boundaries of the ELDS to
                                                extent that the ELDS boundaries have                                                                          avoid these particular areas.
                                                been adjusted from those described in                   on analyses in the FSEIS, EPA has
                                                                                                                                                                 Generally, there are three primary
                                                the Proposed Rule to include only                       concluded that the ELDS’s geographical
                                                                                                                                                              ways that dredged material disposal
                                                adjacent areas outside of the existing                  position (i.e., location), water depth,
                                                                                                                                                              could potentially adversely affect
                                                site, EPA has concluded that these                      and bottom topography (i.e.,                          marine resources. First, disposal can
                                                adjustments will be environmentally                     bathymetry), along with the absence of                cause physical impacts by injuring or
                                                beneficial, as discussed in the FSEIS.                  strong bottom currents at the site, will              burying less mobile fish, shellfish, and
                                                For example, rather than propose                        result in containment of dredged                      benthic organisms, as well as their eggs
                                                designation of part of the existing NLDS,               material within site boundaries. As                   and larvae. Second, tug and barge traffic
                                                the eastern half of which is at capacity                described in Section V (‘‘Disposal Site               transporting the dredged material to a
                                                and nearing depths that could lead to                   Description’’), and in the above                      disposal site could possibly collide or
                                                scouring of the sediment by surface                     discussion of compliance with general                 otherwise interfere with marine
                                                currents and storms, EPA’s final                        criteria iii and iv (40 CFR 228.5(c) and              mammals and reptiles. Third, if
                                                designation of ELDS encompasses two                     (d)), the ELDS also is located far enough             contaminants in the dredged material
                                                areas (formerly NL–Wb and NL–Wa)                        from shore and lies in deep enough                    are taken in by aquatic organisms, these
                                                immediately to the west of the NLDS.                    water to avoid adverse impacts to the                 contaminants could potentially
                                                Moving the site to the west is consistent               coastline.                                            bioaccumulate through the food chain.
                                                with public comments urging that the                       Because the ELDS is a containment                  However, EPA and the other federal and
                                                originally proposed ELDS be moved to                    area, dredged material placed there is                state agencies that regulate dredging and
                                                the west, farther from the New London                   expected to remain within the site and                dredged material disposal impose
                                                Harbor approach lane and submarine                      not affect adjacent seafloor areas. Long-             requirements that prevent or greatly
                                                transit corridor in that area of the                    term monitoring of the NLDS and other                 limit the potential for these types of
                                                Sound. It is also consistent with public                disposal sites in Long Island Sound                   impacts to occur.
                                                comments that favored sites that were                   supports that determination. Any short-                  For example, the agencies impose
                                                further from New York state waters.                     term impacts during dredged material                  ‘‘environmental windows,’’ or time-of-
                                                These two adjacent areas have been                      placement, such as burial of benthic                  year restrictions, for both dredging and
                                                determined to be suitable for use as                    organisms or temporarily increasing the               dredged material disposal. This type of
                                                containment areas by physical                           turbidity in the water column within the              restriction has been a standard practice
                                                oceanographic modeling. Long-term                       disposal site, will be localized at the               for more than a decade in Long Island
                                                monitoring of the adjacent NLDS has                     site. As explained farther below in this              Sound, and New England generally, and
                                                shown minimal adverse impacts to the                    analysis and in the FSEIS, although                   is incorporated in USACE permits and
                                                marine environment and rapid recovery                   dredged material disposal will cause                  authorizations in response to
                                                of the benthic community in the                         these localized, short-term effects, these            consultation with federal and state
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                                                disposal mounds. Similarly, adverse                     effects are not expected to result in                 natural resource agencies (e.g., the
                                                impacts are not expected to result from                 significant short-term or long-term                   National Marine Fisheries Service
                                                use of the new ELDS. While there are                    adverse impacts to the environment.                   (NMFS)). Dredging, and corresponding
                                                other historically used disposal sites in                  ii. Location in Relation To Breeding,              dredged material disposal in Long
                                                eastern Long Island Sound, the analysis                 Spawning, Nursery, Feeding, or Passage                Island Sound, is generally limited to the
                                                in the FSEIS and summarized herein                      Areas of Living Resources in Adult or                 period between October 1 and April 30
                                                concludes that the ELDS is the                          Juvenile Phases (40 CFR 228.6(a)(2)).                 to avoid time periods of possibly


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                       87835

                                                heightened threat to aquatic organisms.                 ambient surroundings. Some organisms                  the western shore of Fishers Island, and
                                                Indeed, environmental windows are                       may burrow deeply into sediments,                     approximately 1.1 nmi from the beach at
                                                often set depending on the location of                  often up to 20 inches, and are more                   Harkness Memorial State Park in
                                                specific dredging projects in relation to               likely to survive a burial event.                     Waterford, Connecticut. Given that the
                                                certain fish and shellfish species. For                    The MPRSA regulations further limit                ELDS is a containment site, no material
                                                example, dredging in nearshore areas                    the potential for adverse environmental               placed at the site would be expected to
                                                where winter flounder spawning occurs                   impacts associated with dredged                       move from the site to these amenity
                                                is generally prohibited between                         material disposal by requiring that the               areas. As noted above, any temporary
                                                February 1 and April 1; dredging that                   dredged material from each proposed                   perturbations in water quality or other
                                                may interfere with anadromous fish                      dredging project be subject to the                    environmental conditions at the site
                                                runs is generally prohibited between                    MPRSA sediment testing requirements,                  during initial mixing from disposal
                                                April 1 and May 15; and dredging that                   set forth at 40 CFR 227.6, to determine               operations will be limited to the
                                                may adversely affect shellfish is                       the material’s suitability for open-water             immediate area of the site and will not
                                                prohibited between June 1 and                           disposal. Such suitability is determined              reach any beach, parks, wildlife refuges,
                                                September 30. These environmental                       by analyzing the sediments proposed for               or other areas of special concern.
                                                windows limiting when dredging can                      dredging for their physical                              iv. Types and Quantities of Wastes
                                                occur also, in effect, restrict periods                 characteristics as well as for toxicity and           Proposed To Be Disposed of, and
                                                when dredged material disposal could                    bioaccumulation. In addition, the                     Proposed Methods of Release, Including
                                                occur.                                                  regulatory agencies quantify the risk to              Methods of Packing the Waste, if Any
                                                   Another benefit of using                             human health that would result from                   (40 CFR 228.6(a)(4)).
                                                environmental windows is that they                      consuming marine organisms exposed                       The ELDS is being designated to
                                                reduce the likelihood of dredged                        to the dredged material and its                       receive only suitable dredged material;
                                                material disposal activities interfering                associated contaminants using a risk                  disposal of other types of material will
                                                with marine mammals and reptiles.                       assessment model. If it is determined                 not be allowed. The MPRSA and EPA
                                                There are several species of marine                     that the sediment is unsuitable for open-             regulations expressly prohibit open
                                                mammal or reptile, such as harbor                       water disposal—that is, that it may                   water disposal of certain other types of
                                                porpoises, long-finned pilot whales,                    unreasonably degrade or endanger                      material (e.g., industrial waste, sewage
                                                seals, and sea turtles that either inhabit              human health or the marine                            sludge, chemical warfare agents, and
                                                or migrate through Long Island Sound.                   environment—it cannot be placed at                    insufficiently characterized materials)
                                                During the winter months, however,                      disposal sites designated under the                   (33 U.S.C. 1414b; 40 CFR 227.5).
                                                most of these species either leave the                  MPRSA. See 40 CFR 227.6. In light of                     The typical composition of dredged
                                                Sound for warmer waters to the south or                 these strict controls, EPA does not                   material to be disposed at the sites is
                                                are less active and remain near the                     anticipate significant effects on marine              expected to range from predominantly
                                                shore. There also are many species of                   organisms from dredged material                       ‘‘clay-silt’’ to ‘‘mostly sand.’’ This
                                                fish (e.g., striped bass, bluefish, and                 disposal at the sites under evaluation.               expectation is based on historical data
                                                scup) and invertebrates (e.g., squid) that                 EPA recognizes that dredged material               from dredging projects in the eastern
                                                leave the Sound during the winter for                   disposal causes some short-term,                      region of Long Island Sound. For federal
                                                either deeper water or warmer waters to                 localized adverse effects to marine                   dredging projects and private projects
                                                the south, thus avoiding the time of year               organisms in the immediate vicinity of                generating more 25,000 cubic yards of
                                                when most dredging and dredged                          each disposal event. Dredged material                 dredged material, EPA and the USACE
                                                material disposal occurs. The use of                    disposal would be limited, however, to                will conduct sediment suitability
                                                environmental windows has been                          suitable material at the one site (see                determinations applying the criteria for
                                                refined over time and is considered an                  above regarding compliance with                       testing and evaluating dredged material
                                                effective management tool to minimize                   general criteria (40 CFR 228.5(e)), and               under 40 CFR part 227, and further
                                                impacts to marine resources.                            only during the several colder-weather                guidance in the ‘‘Regional
                                                   Dredged material disposal will,                      months of the year. As a result, EPA                  Implementation Manual for the
                                                however, have some short-term,                          concludes that designating the ELDS                   Evaluation of Dredged Material
                                                localized impacts to fish, shellfish, and               would not cause significant,                          Proposed for Disposal in New England
                                                benthic organisms, such as clams and                    unacceptable or unreasonable adverse                  Waters’’ (EPA, 2004). Dredged material
                                                worms, that are present at a disposal site              impacts to breeding, spawning, nursery,               must satisfy these suitability criteria
                                                (or in the water column directly above                  feeding, or passage areas of living                   before it can be authorized for disposal
                                                the site) during a disposal event. The                  resources in adult or juvenile phases.                under the MPRSA. In accordance with
                                                sediment plume may entrain and                          Moreover, there is no evidence that                   MPRSA § 106(f), private dredging
                                                smother some fish in the water column,                  designating the ELDS would have                       projects generating up to 25,000 cubic
                                                and may bury some fish, shellfish, and                  significant long-term effects on benthic              yards will continue to be regulated
                                                other marine organisms on the sea floor.                processes or habitat conditions.                      under CWA section 404.
                                                It also may result in a short-term loss of                 iii. Location in Relation to Beaches                  Dredged material to be placed at the
                                                forage habitat in the immediate disposal                and Other Amenity Areas (40 CFR                       ELDS would be transported by either
                                                area, but the DAMOS program has                         228.6(a)(3)).                                         government or private contractor hopper
                                                documented the recolonization of                           EPA’s analysis concludes that the                  dredges or oceangoing bottom-dump
                                                disposal mounds by benthic infauna                      ELDS satisfies this criterion. The ELDS               barges (‘‘scows’’) towed by a towing
                                                within 1–3 years after disposal, and this               is far enough away from beaches, parks,               vessel (e.g., tugboat). Both types of
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                                                pattern would be expected at the sites                  wildlife refuges, and other areas of                  equipment release the material at or
                                                evaluated in the FSEIS. As discussed in                 special concern to prevent adverse                    very near the surface, which is the
                                                the FSEIS (section 5.2.2), over time,                   impacts to these amenities. Also, as                  standard operating procedure for this
                                                disposal mounds recover and develop                     previously noted, there are no marine                 activity. The disposal of this material
                                                abundant and diverse biological                         sanctuaries in Long Island Sound. The                 will occur at specific coordinates
                                                communities that are healthy and able                   ELDS is approximately 2.3 nmi from the                marked by buoys, and will be placed so
                                                to support species typically found in the               closest public beach in New York, on                  as to concentrate material from each


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                                                87836            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                disposal project. This concentrated                     final SMMP for the ELDS is included as                   As previously described in Section V
                                                placement is expected to help minimize                  Appendix I of the FSEIS.                              (‘‘Disposal Site Description’’), the ELDS
                                                bottom impacts to benthic organisms. In                    The SMMP is subject to review and                  is west of, and adjacent to, the NLDS,
                                                addition, there are no plans to pack or                 updating at least once every ten years,               which has received approximately 8.9
                                                package dredged material prior to                       if necessary, and may be subject to                   mcy (6.7 million m3) of dredged
                                                disposal.                                               additional revisions based on the results             material since 1955. The NLDS was
                                                   As previously discussed, the USACE’s                 of site monitoring and other new                      used regularly until the early 2000s and
                                                DMMP projected that dredging in                         information. Any such revisions will be               is still an active site, but it has not been
                                                eastern Long Island Sound will generate                 closely coordinated with other federal                used frequently in recent years and it
                                                approximately 22.6 million cubic yards                  and state resource management agencies                will no longer be available for use after
                                                (mcy) of dredged material over the next                 and stakeholders during the review and                December 23, 2016.
                                                30 years, including 17.9 mcy from                       approval process and will become final                   Until the passage of the CWA in 1972,
                                                Connecticut ports and harbors and 4.7                   only when approved by EPA, in                         dredged material disposal was not a
                                                mcy from ports and harbors in New                       conjunction with the USACE. See 33                    heavily regulated activity. Since 1972,
                                                York. Of the total amount of 22.6 mcy,                  U.S.C. 1413 (c)(3).                                   open-water disposal in Long Island
                                                approximately 13.5 mcy are projected to                    vi. Dispersal, Horizontal Transport                Sound has been subject to the sediment
                                                be fine-grained sediment that meets                     and Vertical Mixing Characteristics of                testing and alternatives analysis
                                                MPRSA and CWA standards for aquatic                     the Area, Including Prevailing Current                provisions of section 404 of the CWA.
                                                disposal (i.e., ‘‘suitable’’ material), and             Direction and Velocity, if Any (40 CFR                With passage of the Ambro Amendment
                                                9.1 mcy are projected to be course-                     228.6(a)(6)).                                         in 1980 (which was further amended in
                                                grained sand that also meets MPRSA                         Although the interactions of                       1990), 33 U.S.C. 1416(f), dredged
                                                and CWA standards for aquatic disposal                  bathymetry, wind-generated waves, and                 material disposal from all federal
                                                (i.e., also ‘‘suitable’’ material).                     river and ocean currents in Long Island               projects and non-federal projects
                                                   As discussed above in Section VI                                                                           generating more than 25,000 cubic yards
                                                                                                        Sound are complex, EPA has conducted
                                                (‘‘Summary of Public Comments and                                                                             of material became subject to the
                                                                                                        a rigorous assessment of bottom stress,
                                                EPA’s Responses’’), EPA asked the                                                                             requirements of the MPRSA in addition
                                                                                                        hydrodynamic processes, and storm-
                                                USACE to conduct another analysis to                                                                          to CWA section 404. These increasingly
                                                                                                        driven wave action at the ELDS. The
                                                further refine the actual disposal                                                                            stringent regulatory requirements for
                                                                                                        assessment included data collection and
                                                capacity needed as compared with the                                                                          dredged material disposal, combined
                                                                                                        modeling of disposal of dredged
                                                original dredging needs estimate, taking                                                                      with other CWA requirements that have
                                                into consideration EPA’s designation of                 material under a variety of conditions.
                                                                                                                                                              reduced the level of pollutants being
                                                only one site, past dredging experience,                The assessment concluded that the area
                                                                                                                                                              discharged into the Nation’s waterways,
                                                and other factors, such as the potential                that encompasses both the ELDS and
                                                                                                                                                              have contributed to a steady,
                                                for future improvement dredging                         NLDS has the least amount of bottom
                                                                                                                                                              measurable improvement in the quality
                                                projects and extreme storm events, and                  stress compared with the other sites in
                                                                                                                                                              of material that has been allowed to be
                                                accounting for consolidation of dredged                 the eastern Long Island Sound region
                                                                                                                                                              placed at the NLDS over the past 40
                                                material in the disposal site. The                      that were assessed. This supports EPA’s
                                                                                                                                                              years.
                                                USACE’s disposal capacity analysis                      conclusion that the ELDS provides for                    The NLDS has been used since the
                                                determined that the necessary capacity                  the greatest stability of disposal mounds             early 1980s pursuant to the USACE’s
                                                was approximately 20 mcy, which will                    and is the optimal location for a                     short-term site selection authority under
                                                be just met by the capacity of the ELDS.                containment site. See e.g., 40 CFR                    section 103(b) of the MPRSA (33 U.S.C.
                                                For all of these reasons, no significant                228.15(b)(4)(vi)(L)). Consistent with                 1413(b)). In EPA’s view, the close
                                                adverse impacts are expected to be                      this, past monitoring during disposal                 proximity of the NLDS to the ELDS,
                                                associated with the types and quantities                operations at the NLDS (in the vicinity               coupled with past use of the NLDS,
                                                of dredged material that may be                         of the ELDS) revealed minimal drift of                generally makes the ELDS preferable for
                                                disposed at the sites.                                  sediment out of the disposal site area as             designation, as compared to more
                                                   v. Feasibility of Surveillance and                   it passed through the water column.                   pristine sites that have either not been
                                                Monitoring (40 CFR 228.6(a)(5)).                        EPA expects the same result at the                    used or were used in the more distant
                                                   Monitoring and surveillance will be                  ELDS.                                                 past. See 40 CFR 228.5(e). Using a site
                                                feasible at the ELDS. The site is                          Disposal site monitoring has                       in the vicinity of an existing site, rather
                                                conducive to monitoring because it is a                 confirmed that peak wave-induced                      than using sites in areas completely
                                                containment site and material placed at                 bottom current velocities are not                     unaffected by dredged material in the
                                                the site is expected to stay there. The                 sufficient to cause significant erosion of            past, will help to concentrate, rather
                                                ELDS is readily accessible for sediment                 dredged material placed at the ELDS. As               than spread, the footprint of dredged
                                                grab, bathymetric, and side-scan sonar                  noted above, physical oceanographic                   material disposal on the seafloor of Long
                                                surveys. The nearby NLDS has been                       monitoring and modeling has indicated                 Island Sound.
                                                successfully monitored by the USACE                     that the ELDS is a depositional location                 While the effects of placing suitable
                                                over the past 35 years under the                        that collects, rather than disperses,                 dredged material at a disposal site are
                                                DAMOS program. Monitoring of the                        sediment. As a result, EPA has                        primarily limited to short-term physical
                                                ELDS would be carried out under the                     determined that the dispersal,                        effects, such as burying benthic
                                                DAMOS program in accordance with                        horizontal transport, and vertical mixing             organisms in the location where the
                                                the current approved Site Management                    characteristics, as well as the current               material is placed, EPA regards it to be
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                                                and Monitoring Plan (SMMP) for the                      velocities and directions at the ELDS, all            preferable to concentrate such effects in
                                                site. In conjunction with the Proposed                  support designating it as a long-term                 particular areas and leave other areas
                                                Rule, EPA and the USACE developed a                     dredged material disposal site.                       untouched as much as possible.
                                                draft SMMP and published it for public                     vii. Existence and Effects of Current                 That said, EPA’s evaluation of data
                                                review and comment. The agencies have                   and Previous Discharges and Dumping                   and modeling results indicates that past
                                                now developed a final SMMP in                           in the Area (Including Cumulative                     disposal operations at the NLDS have
                                                connection with this Final Rule. The                    Effects) (40 CFR 228.6(a)(7)).                        not resulted in unacceptable or


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                        87837

                                                unreasonable environmental                                 EPA also carefully evaluated the                   DAMOS monitoring that consistently
                                                degradation, and that there should be no                potential effects on commercial and                   documents the rapid recovery of the
                                                such adverse effects in the future from                 recreational fishing for both finfish and             benthic community in an area that has
                                                the projected use of the ELDS. As part                  shellfish (including lobster) of                      received dredged material. In addition,
                                                of this conclusion, discussed in detail in              designating the ELDS for dredged                      any physical effects will be further
                                                Section 5.7 of the FSEIS, EPA found that                material disposal, and concluded that                 limited by the relatively few months in
                                                there should be no significant adverse                  there would be no unreasonable or                     which disposal activities could be
                                                cumulative environmental effects from                   unacceptable adverse effects. As                      permitted by the environmental window
                                                using the ELDS on a long-term basis for                 discussed above in relation to other site             (or time-of-year) restrictions.
                                                dredged material disposal in                            evaluation criteria, dredged material                    Fourth, EPA has determined that
                                                compliance with all applicable                          disposal will have only short-term,                   vessel traffic associated with dredged
                                                regulatory requirements regarding                       incidental, and insignificant effects on              material disposal will not have any
                                                sediment quality and site usage.                        organisms in the disposal sites and no                unreasonable or unacceptable adverse
                                                   viii. Interference With Shipping,                    appreciable effects beyond the sites.                 effects on fishing. As explained above,
                                                Fishing, Recreation, Mineral Extraction,                Indeed, since past dredged material                   environmental window restrictions will
                                                Desalination, Fish and Shellfish                        disposal, including at the nearby NLDS,               limit any disposal to the period between
                                                Culture, Areas of Special Scientific                    has been determined to have no                        October 1 and April 30, and often to
                                                Importance and Other Legitimate Uses                    significant adverse effects on fishing,               fewer months depending on species-
                                                of the Ocean (40 CFR 228.6(a)(8)).                      the similar projected levels of future                specific restrictions for each dredging
                                                   In evaluating whether disposal                       disposal activities at the designated site            project, each year. Moreover, due to the
                                                activity at the site could interfere with               also are not expected to have any                     seasonal nature of recreational boating
                                                any of the uses described above, EPA                    significant adverse effects.                          and commercial shipping, there is
                                                considered both the effects of placing                     There are four main reasons that EPA               generally far less vessel traffic in the
                                                dredged material on the bottom of the                   concluded that no unacceptable adverse                colder-weather months when disposal
                                                                                                        effects would occur from placing                      would occur.
                                                Sound at the ELDS and any effects from
                                                                                                        dredged material at the ELDS. First, as                  There currently are no mineral
                                                vessel traffic associated with
                                                                                                        discussed above, any contaminants in                  extraction activities or desalinization
                                                transporting the dredged material to the                                                                      facilities in the eastern Long Island
                                                                                                        material permitted for disposal—having
                                                disposal site. From this evaluation, EPA                                                                      Sound region with which disposal
                                                                                                        satisfied the dredged material criteria in
                                                concluded there would be no                                                                                   activity could potentially interfere.
                                                                                                        the regulations that restrict any toxicity
                                                unacceptable or unreasonable adverse                                                                          Energy transmission pipelines and
                                                                                                        and bioaccumulation—will not have
                                                effects on the considerations noted in                                                                        cables are located near the site, but none
                                                                                                        any significant adverse effects on fish,
                                                this criterion. Some of the factors listed                                                                    are within the boundaries of the ELDS.
                                                                                                        shellfish, or other aquatic organisms.
                                                in this criterion have already been                                                                              No finfish aquaculture currently takes
                                                                                                        Moreover, because the ELDS is a
                                                discussed above due to the overlap of                   containment area, dredged material                    place in Long Island Sound, and the
                                                this criterion with aspects of certain                  disposed at the site is expected to                   only form of shellfish culture in the
                                                other criteria. Nevertheless, EPA will                  remain there.                                         area, oyster production, occurs in
                                                address each point below.                                  Second, as also discussed above, the               nearshore locations far enough away
                                                   As previously discussed, and in                      disposal site does not encompass any                  from the ELDS that it should not be
                                                response to public comment, the eastern                 especially important, sensitive, or                   impacted in any manner by this
                                                boundary of the ELDS has been shifted                   limited habitat for the Sound’s fish and              proposed action.
                                                westward to move it further from the                    shellfish, such as key spawning or                       Finally, the ELDS is not in an area of
                                                submarine transit corridor into the                     nursery habitat for species of finfish.               special scientific importance; in fact,
                                                Thames River. The eastern boundary of                   That said, as explained farther above,                areas with such characteristics were
                                                the ELDS is 0.467 nmi west of the                       EPA has redrawn the boundary of the                   screened out very early in the
                                                western boundary of the New London                      ELDS to avoid a rocky area that could                 alternatives screening process.
                                                Harbor approach lane and submarine                      provide particularly good habitat for                 Accordingly, depositing dredged
                                                transit corridor, which will further                    fish, even though it is not an area that              material at the ELDS will not interfere
                                                reduce any potential for conflicts                      has received any special designation for              with any of the activities described in
                                                between use of the disposal site and                    such purposes.                                        this criterion or other legitimate uses of
                                                submarine and deep draft commercial                        Third, while EPA found that a small                Long Island Sound.
                                                marine traffic. Vessel traffic generated                number of demersal fish (e.g., winter                    ix. The Existing Water Quality and
                                                by disposal activity is expected to be                  flounder), shellfish (e.g., clams and                 Ecology of the Sites as Determined by
                                                similar to that which has occurred over                 lobsters), benthic organisms (e.g.,                   Available Data or by Trend Assessment
                                                the past 20–30 years, which has not                     worms), and zooplankton and                           or Baseline Surveys (40 CFR
                                                interfered with other shipping activity.                phytoplankton could be lost due to the                228.6(a)(9)).
                                                Moreover, research by EPA and the                       physical effects of disposal (e.g., burial               EPA’s analysis of existing water
                                                USACE concluded that after disposal at                  of organisms on the seafloor by dredged               quality and ecological conditions at the
                                                the ELDS, resulting water depths will be                material and entrainment of plankton in               ELDS in light of available data, trend
                                                sufficient to permit navigation in the                  the water column by dredged material                  assessments and baseline surveys
                                                area without interference. By providing                 upon its release from a disposal barge),              indicates that disposal at the site will
                                                an open-water alternative for dredged                   EPA also determined that these minor,                 not cause unacceptable or unreasonable
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                                                material disposal in the absence of                     temporary adverse effects would be                    adverse environmental effects.
                                                environmentally preferable, practicable                 neither unreasonable nor unacceptable.                Considerations related to water quality
                                                alternatives, the sites are likely to                   This determination was based on EPA’s                 and various ecological factors (e.g.,
                                                improve and facilitate navigation in                    conclusion that the numbers of                        sediment quality, benthic organisms,
                                                many of the harbors, bays, rivers and                   organisms potentially affected represent              fish and shellfish) have already been
                                                channels around eastern Long Island                     only a minuscule percentage of those in               discussed above in relation to other site
                                                Sound.                                                  eastern Long Island Sound, and on                     selection criteria, and are discussed in


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                                                87838            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                detail in the FSEIS and supporting                      any important natural, cultural,                      disposal will not be allowed when
                                                documents. In considering this                          spiritual, or historical features or areas            weather and sea conditions could
                                                criterion, EPA took into account existing               within the ELDS. At the same time, the                interfere with safe, effective placement
                                                water quality and sediment quality data                 Shinnecock Indian Nation commented                    of any dredged material at a designated
                                                collected at the disposal sites, including              to EPA that investigations are underway               site. In addition, although not
                                                from the USACE’s DAMOS site                             to determine whether ‘‘submerged paleo                technically a site management
                                                monitoring program, as well as water                    cultural landscapes’’ might exist that                requirement, disposal activity at the
                                                quality data from the Connecticut                       would indicate that the tribe’s ancestors             sites will generally be limited to the
                                                Department of Energy and                                lived farther offshore than currently                 period between October 1 and April 30,
                                                Environmental Protection’s (CTDEEP)                     understood. In this regard, the tribe                 but often less, depending on
                                                Long Island Sound Water Quality                         expresses concern that dredged material               environmental windows, to protect
                                                Monitoring Program. As discussed                        placement at an open-water site could                 certain species, as described above.
                                                herein, EPA has determined that                         further bury any evidence of such sites.                 EPA and the USACE have managed
                                                placement of suitable dredged material                  As discussed above and in the FSEIS,                  and monitored dredged material
                                                at the ELDS should not cause any                        EPA is currently not aware of any                     disposal activities at disposal sites in
                                                significant adverse environmental                       evidence suggesting that such                         Long Island Sound since the early
                                                effects to water quality or to ecological               submerged artifacts may exist at the                  1980s. Site monitoring has been
                                                conditions at the disposal sites. EPA                   ELDS. If such evidence emerges in the                 conducted under the USACE’s DAMOS
                                                and the USACE have prepared a SMMP                      future, EPA will further consult with the             disposal site monitoring program. In
                                                for the ELDS to guide future monitoring                 Shinnecock Indian Nation about                        accordance with the requirements of
                                                of site conditions (FSEIS Appendix I).                  whether any adjustments to the site                   MPRSA section 102(c) and 40 CFR
                                                   x. Potentiality for the Development or               boundaries, site management                           228.3, EPA and the USACE have
                                                Recruitment of Nuisance Species in the                  requirements, or site use restrictions                developed a SMMP for the ELDS, which
                                                Disposal Sites (40 CFR 228.6(a)(10)).                   would be appropriate.                                 is incorporated as Appendix I of the
                                                   Monitoring at disposal sites in Long                    In summary, one shipwreck is located               FSEIS. The SMMP describes in detail
                                                Island Sound over the past 35 years has                 just inside the eastern boundary of the               the specific management and
                                                shown no recruitment of nuisance                        ELDS, but the wreck is not considered                 monitoring requirements for the ELDS.
                                                (invasive, non-native) species that are                 to be of historical significance.
                                                                                                                                                              B. National Environmental Policy Act
                                                attributable to dredged material                        Nevertheless, any impacts to that wreck
                                                disposal. There is no reason to expect                  from dredged material disposal will be                   As EPA explained in the preamble to
                                                this to change, but monitoring will                     minimized by establishing a 164-foot                  the Proposed Rule, 81 FR 24760 (April
                                                continue to look for any such impacts.                  (50 m) avoidance buffer surrounding the               27, 2016), EPA disposal site designation
                                                EPA and the USACE will continue to                      shipwreck as well as appropriate site                 evaluations conducted under the
                                                monitor the ELDS and other EPA-                         management, which accommodates both                   MPRSA have been determined to be
                                                designated sites under their respective                 the minimum buffer of 30 m                            ‘‘functionally equivalent’’ to NEPA
                                                SMMPs, which include a ‘‘management                     recommended by the CT SHPO, and the                   reviews and, as a result, are not subject
                                                focus’’ on ‘‘changes in composition and                 40–50 m minimum buffer applied by the                 to NEPA analysis requirements as a
                                                numbers of pelagic, demersal, or benthic                NY OPRHP.                                             matter of law. Nevertheless, as a matter
                                                biota at or near the disposal sites’’                                                                         of policy, EPA voluntarily uses NEPA
                                                (Section 6.1.5 of the SMMP, Appendix                    3. Disposal Site Management (40 CFR                   procedures when evaluating the
                                                I of the FSEIS).                                        228.3, 228.7, 228.8 and 228.9)                        potential designation of ocean dumping
                                                   xi. Existence at or in Close Proximity                  The ELDS will be subject to specific               sites. See 63 FR 58045 (Notice of Policy
                                                to the Sites of Any Significant Natural                 management requirements to ensure                     and Procedures for Voluntary
                                                or Cultural Feature of Historical                       that unacceptable adverse                             Preparation of National Environmental
                                                Importance (40 CFR 228.6(a)(11)).                       environmental impacts do not occur.                   Policy Act Documents, October 29,
                                                   There are no natural or cultural                     Examples of these requirements include:               1998).
                                                features of historical importance located               (1) Restricting the use of the sites to the              EPA is the agency authorized by the
                                                within or in close proximity to the                     disposal of dredged material that has                 MPRSA to designate dredged material
                                                ELDS. There is, however, one shipwreck                  been determined to be suitable for ocean              disposal sites and is responsible for the
                                                located within the ELDS near the                        disposal following MPRSA and/or CWA                   site designation decision and the NEPA
                                                southeastern corner the site, just inside               requirements in accordance with the                   analysis supporting it. As discussed in
                                                its eastern boundary. As discussed in                   provisions of MPRSA section 106(f), as                detail in the preamble to the Proposed
                                                the FSEIS, a review of submerged vessel                 well as to material from waters in the                Rule, 81 FR 24761, EPA used a third-
                                                reports in the NOAA and Connecticut                     vicinity of the disposal sites; (2)                   party contracting approach so that
                                                State Historic Preservation Office (CT                  monitoring the disposal sites and their               funding from the state of Connecticut
                                                SHPO) shipwreck databases indicates                     associated reference sites, which are not             could be applied to the support the site
                                                that there is one charted shipwreck                     used for dredged material disposal, to                designation studies and the
                                                located within the ELDS, near its                       assess potential impacts to the marine                development of the FSEIS. See 40 CFR
                                                eastern boundary. This wreck also was                   environment by providing a point of                   1506.5. Because EPA is ultimately
                                                identified by EPA’s side-scan sonar                     comparison to an area unaffected by                   responsible for the FSEIS, the Agency
                                                survey. This shipwreck is not, however,                 dredged material disposal; and (3)                    worked closely with the state of
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                                                considered to be of historical                          retaining the right to limit or close these           Connecticut to select the contractors
                                                importance.                                             sites to further disposal activity if                 and then maintained close involvement
                                                   EPA coordinated with Indian tribes in                monitoring or other information reveals               with production of the SEIS and control
                                                Connecticut, Rhode Island, and New                      evidence of unacceptable adverse                      over its analyses and conclusions. The
                                                York throughout the development of the                  impacts to the marine environment. As                 U.S. Navy also contributed to the site
                                                FSEIS, and the tribes did not identify                  mentioned above, dredged material                     designation process by funding




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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                         87839

                                                biological and other environmental                      approaches to managing dredging needs,                discussed in detail in the
                                                studies in support of the FSEIS. The                    including the ‘‘no action’’ alternative               determinations noted above, but in a
                                                Navy, with extensive input from EPA                     (i.e., the alternative of not designating             general sense, there are several broad
                                                and CTDEEP, used its contractor Tetra                   any open-water disposal sites). See 40                reasons why designation of the ELDS is
                                                Tech based on its expertise in biological               CFR 1502.14. The DSEIS was                            consistent with the applicable,
                                                resources studies and risk assessment.                  considered supplemental because it                    enforceable policies of the three states’
                                                   The USACE was a ‘‘cooperating                        updated and built upon the analyses                   coastal zone programs. First, the
                                                agency’’ in the development of the                      that were conducted for the 2005 Long                 designation is not expected to cause any
                                                FSEIS because of its knowledge                          Island Sound Environmental Impact                     significant adverse impacts to the
                                                concerning the region’s dredging needs,                 Statement that supported the                          marine environment, coastal resources,
                                                its technical expertise in monitoring                   designation of the Central and Western                or uses of the coastal zone. Indeed, EPA
                                                dredged material disposal sites and                     Long Island Sound disposal sites.                     expects the designation to benefit
                                                assessing the environmental effects of                     EPA released the DSEIS for a 60-day                coastal uses involving navigation and
                                                dredging and dredged material disposal,                 public comment period on April 27,                    berthing of vessels by facilitating
                                                its history in the regulation of dredged                2016, and subsequently extended the                   needed dredging, and to benefit the
                                                material disposal in Long Island Sound                  comment period for 21 days, until July                environment by limiting any open-water
                                                and elsewhere, and its ongoing legal                    18, 2016. EPA held four public hearings               dredged material disposal to a small
                                                role in regulating dredging, dredged                    during the comment period: Two                        number of environmentally appropriate
                                                material disposal, and the management                   (afternoon and evening) on May 24 in                  sites designated by EPA, rather than at
                                                and monitoring of disposal sites. Other                 Riverhead and Mattituck, NY, and two                  a potential proliferation of USACE-
                                                cooperating agencies were NMFS,                         on May 25 in Groton, CT. As previously                selected sites. Second, designation of
                                                CTDEEP, CT DOT, New York                                noted, EPA received extensive public                  the site does not actually authorize the
                                                Department of State (NYSDOS), New                       comment, both in support of, and in                   disposal of any dredged material at the
                                                York Department of Environmental                        opposition to, EPA’s proposed action as               sites. Any proposal to dispose dredged
                                                Conservation (NYSDEC), and Rhode                        described in the DSEIS and proposed                   material from a particular project at a
                                                Island Coastal Resources Management                     rule.                                                 designated site will be subject to case-
                                                Council (RICRMC). To take advantage of                     After considering the public                       specific evaluation and be allowed only
                                                expertise of other entities, and to                     comments received, EPA conducted                      if: (a) The material satisfies the sediment
                                                promote strong inter-agency                             additional analysis and has now                       quality requirements of the MPRSA and
                                                communications, EPA also coordinated                    published an FSEIS in conjunction                     the CWA; (b) no practicable alternative
                                                with the U.S. Fish and Wildlife Service;                with, and as part of the support for,                 method of management with less
                                                the Mashantucket (Western) Pequot                       publication of this Final Rule                        adverse environmental impact is
                                                Tribal Nation, Mohegan Tribe, Eastern                   designating the ELDS. EPA’s FSEIS
                                                                                                                                                              available; and (c) the disposal complies
                                                Pequot Tribal Nation, and Paucatuck                     includes additional discussion and
                                                                                                                                                              with the site restrictions for the site.
                                                Eastern Pequot Indians (in Connecticut);                analysis pertaining to EPA’s final site
                                                                                                                                                              These restrictions are described and
                                                the Narragansett Indian Tribe (in Rhode                 designation, including discussion and
                                                                                                                                                              discussed in the next section of the
                                                Island); the Shinnecock Indian Nation                   analysis supporting EPA’s decision to
                                                                                                                                                              preamble and are designed to reduce or
                                                (in New York); and, as previously                       adjust the boundaries of the ELDS as
                                                                                                                                                              eliminate dredged material disposal in
                                                discussed, the CT SHPO and NY                           they were delineated in the Proposed
                                                                                                                                                              Long Island Sound. Third, the
                                                OPRHP. Throughout the SEIS                              Rule. Appendix J of the FSEIS includes
                                                                                                                                                              designated disposal site will be
                                                development process, EPA                                all the public comments EPA received
                                                                                                                                                              managed and monitored pursuant to a
                                                communicated with the cooperating                       on the DSEIS and Proposed Rule, and
                                                                                                                                                              SMMP and if adverse impacts are
                                                federal and state agencies and tribes to                provides a summary of those comments
                                                                                                                                                              identified, use of the sites will be
                                                keep them apprised of progress on the                   and EPA responses to those comments.
                                                                                                                                                              modified to reduce or eliminate those
                                                project and to solicit input.                           EPA also has summarized the more
                                                   Consistent with its voluntary NEPA                                                                         impacts. Such modification could
                                                                                                        significant comments and EPA’s
                                                policy, EPA has undertaken NEPA                                                                               further restrict, or even terminate, use of
                                                                                                        responses to them in Section VI of the
                                                analyses as part of its decision-making                                                                       the sites, if appropriate. See 40 CFR
                                                                                                        preamble to this Final Rule.
                                                process for the designation of the ELDS.                                                                      228.3, 228.11.
                                                EPA published a Notice of Intent to                     C. Coastal Zone Management Act                           On August 9, 2016, the RICRMC sent
                                                prepare an EIS on October 16, 2012,                        Based on the evaluations presented in              EPA a letter concurring with EPA’s
                                                invited other federal and state agencies                the FSEIS and supporting documents,                   CZMA determination for Rhode Island.
                                                to participate as cooperating or                        and a review of the federally approved                Similarly, on September 26, 2016,
                                                coordinating agencies, defined a ‘‘Zone                 coastal zone programs and policies of                 CTDEEP, which administers
                                                of Siting Feasibility’’ in cooperation                  Connecticut, New York, and Rhode                      Connecticut’s coastal zone management
                                                with the cooperating agencies, held                     Island, EPA determined that designation               program, sent EPA a letter concurring
                                                public meetings regarding the scope of                  of the ELDS for open-water dredged                    with EPA’s CZMA determination for
                                                issues to be addressed by the SEIS, and                 material disposal under the MPRSA will                Connecticut.
                                                published a DSEIS for public review                     be fully consistent with, or consistent to               On October 3, 2016, EPA received a
                                                and comment. The DSEIS, entitled,                       the maximum extent practicable with,                  letter from the NYSDOS objecting to
                                                ‘‘Draft Supplemental Environmental                      the enforceable policies of the approved              EPA’s designation of the ELDS on the
                                                Impact Statement for the Designation of                 coastal zone management programs of                   basis of its view that either EPA had
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                                                Dredged Material Disposal Site(s) in                    the three states. EPA provided a written              provided insufficient information to
                                                Eastern Long Island Sound, Connecticut                  determination to that effect to the                   support a CZMA consistency
                                                and New York,’’ assesses and compares                   NYSDOS (on July 20, 2016), to CTDEEP                  determination or, based on the
                                                the effects of designating alternative                  (on July 29, 2016), and to the RICRMC                 information provided, the action was
                                                dredged material disposal sites in                      (on July 28, 2016), respectively.                     inconsistent with the enforceable
                                                eastern Long Island Sound. EPA’s SEIS                      The specific policies of each state’s              policies of New York’s Coastal
                                                also evaluated various alternative                      coastal zone management program are                   Management Program (CMP).


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                                                87840            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                  After giving careful consideration to                 affect essential fish habitat (EFH). EPA              management issues for the entire Long
                                                the issues raised by NYSDOS, EPA                        initiated coordination with NMFS on                   Island Sound region, including the
                                                continues to hold the view that                         June 30, 2016, by submitting an EFH                   eastern portion of the Sound. Therefore,
                                                designation of the ELDS, as specified                   assessment in compliance with the Act.                EPA concludes that it makes sense to
                                                herein, is consistent to the maximum                    This coordination addressed the                       apply site use restrictions based on the
                                                extent practicable with the enforceable                 potential for the designation of any of               DMMP to the ELDS as well as to the
                                                policies of New York’s CMP. EPA also                    the alternative disposal sites being                  CLDS and WLDS. EPA also received
                                                believes that the site use restrictions                 evaluated to adversely affect EFH. In a               public comments in support of applying
                                                that have been made applicable to the                   letter dated August 12, 2016, NMFS                    the site use restrictions to all Long
                                                ELDS provide enhanced assurance of                      concurred with EPA’s determination                    Island Sound disposal sites.
                                                such consistency.                                       that the designation of the ELDS would                   The standards included in the
                                                                                                        not adversely affect EFH. The letter                  restrictions are described in the
                                                D. Endangered Species Act                                                                                     Proposed Rule and address the
                                                                                                        stated, in part, ‘‘We concur with your
                                                   The ESA requires consultation with                   determination that by excluding the                   disposition of sandy material, suitable
                                                NMFS and/or USFWS to adequately                         boulder areas located in the south and                fine-grained material and unsuitable
                                                address potential impacts to threatened                 northwest corners of the proposed                     fine-grained materials. See 81 FR 24764.
                                                and endangered species that may occur                   disposal site, and with the incorporation             See also 81 FR 44229 (40 CFR
                                                at the proposed dredged material                        of your specific management practices                 228.15(b)(4)(vi)(C)(3)(i)–(iii)). Also
                                                disposal site from any proposal to                      that include a 200-foot buffer zone from              included are expectations of continued
                                                dispose dredged material. EPA initiated                 the boulder areas, the proposed                       federal, state and local efforts at source
                                                consultations regarding the proposed                    designation will result in no more than               reduction (i.e., reducing sediment
                                                ELDS with both the NMFS and USFWS,                      minimal adverse impacts to designated                 entering waterways). EPA did not
                                                concurrent with the public comment                      EFH.’’ The coordination process is fully              receive any comments on the standards
                                                period for the DSEIS. This consultation                 documented in the FSEIS.                              and has not modified them in the Final
                                                process is fully documented in the                                                                            Rule.
                                                FSEIS. EPA provided the NMFS and                        IX. Restrictions                                         The restrictions augment the
                                                USFWS with its conclusion that the                         As described in the Proposed Rule,                 recommended procedures in the DMMP,
                                                proposed designation of the ELDS was                    EPA is restricting the use of the ELDS                and in the Proposed Rule, by
                                                not likely to adversely affect any                      in the same manner that it has restricted             establishing a Long Island Sound
                                                federally listed endangered or                          use of the CLDS and WLDS. On July 7,                  Dredging Steering Committee (Steering
                                                threatened species, or designated                       2016, EPA published in the Federal                    Committee), consisting of high-level
                                                critical habitat of any such species.                   Register (81 FR 44220) a final rule to                representatives from the states of
                                                   On August 11, 2016, USFWS sent an                    amend the 2005 rule that designated the               Connecticut and New York, EPA,
                                                email message concurring with EPA’s                     CLDS and WLDS, to establish new                       USACE, and, as appropriate other
                                                proposed action, stating that the                       restrictions on the use of those sites to             federal and state agencies. Such other
                                                designation of the ELDS, ‘‘will have no                 support the goal of reducing or                       parties could include the National
                                                effect on federally listed species under                eliminating open-water disposal in Long               Oceanic and Atmospheric
                                                the jurisdiction of the U.S. Fish and                   Island Sound. The restrictions include                Administration’s (NOAA) National
                                                Wildlife Service and that any effects                   standards and procedures to promote                   Marine Fisheries Service (NMFS),
                                                from activities associated with the                     the development and use of practicable                which had a seat on the previous
                                                disposal of dredged material at this                    alternatives to open-water disposal,                  Steering Committee, and the state of
                                                location will be consulted individually                 including establishment of an                         Rhode Island, which had a seat on the
                                                under section 7 of the ESA,’’ and that,                 interagency ‘‘Steering Committee’’ and                previous Long Island Sound Regional
                                                ‘‘(f)urther consultation . . . is not                   ‘‘Regional Dredging Team’’ that will                  Dredging Team (LIS RDT), and may
                                                necessary unless there is new                           play important roles in implementation                have more interest now that the LIS
                                                information relative to listed species                  of the rule. The site use restrictions for            RDT’s geographic scope includes
                                                presence or there are changes to the                    the CLDS are detailed in 40 CFR                       eastern Long Island Sound. The Steering
                                                project.’’                                              228.15(b)(4)(vi) and are incorporated for             Committee will provide policy-level
                                                   On August 12, 2016, NMFS also                        the WLDS by the cross-references in 40                direction to the Long Island Sound
                                                concurred with EPA’s ‘‘conclusion that                  CFR 228.15(b)(4)(vi) and (b)(5)(vi).                  Regional Dredging Team (RDT). The
                                                the proposed action is not likely to                    Similarly, EPA is applying to the ELDS                Steering Committee is charged with:
                                                adversely affect the ESA-listed species                 the same restrictions as are applied to               Establishing a baseline for the volume
                                                under our jurisdiction and will have no                 the CLDS and WLDS by including                        and percentage of dredged material
                                                effect on critical habitat since the action             simple cross-references to those                      being beneficially used and placed at
                                                does not overlap with any proposed/                     restrictions in the new ELDS regulations              the open-water sites; establishing a
                                                designation (sic) critical habitat under                at 40 CFR 228.15(b)(4) and (b)(6)(vi).                reasonable and practicable series of
                                                our jurisdiction,’’ and that, ‘‘. . . no                   The restrictions incorporate standards             stepped objectives, including
                                                further consultation . . . is required.’’               and procedures for the use of the                     timeframes, to increase the percentage
                                                Copies of all consultation and                          Eastern, Central and Western disposal                 of beneficially used material while
                                                coordination correspondence are                         sites consistent with the                             reducing the percentage and amount
                                                provided in Appendices A–11 of the                      recommendations of the Long Island                    being disposed in open water, and while
                                                FSEIS.                                                  Sound DMMP. The DMMP identifies a                     recognizing that the amounts of dredged
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                                                                                                        wide range of alternatives to open-water              material generated by the dredging
                                                E. Magnuson-Stevens Fishery                             disposal and recommends standards                     program will naturally fluctuate from
                                                Conservation and Management Act                         and procedures to help determine                      year to year; and develop accurate
                                                  The MSFCMA requires federal                           whether and which of these alternatives               methods to track the placement of
                                                agencies to coordinate with NMFS                        should be pursued for particular                      dredged material, with due
                                                regarding any action they authorize,                    dredging projects. The DMMP addresses                 consideration for annual fluctuations.
                                                fund, or undertake that may adversely                   dredging and dredged material                         The stepped objectives should


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                         87841

                                                incorporate an adaptive management                      dredged material, as measured in 2026,                Island and New York. U.S. Army Corps of
                                                approach while striving for continuous                  has not declined or been maintained                   Engineers, New England District. December
                                                improvement.                                            over the prior ten years, then any party              2015.
                                                   The restrictions provide that when                                                                            10. EPA Region 1. 2016. Draft
                                                                                                        may petition EPA to conduct a                         Supplemental Environmental Impact
                                                tracking progress, the Steering                         rulemaking to amend the restrictions of               Statement for the Designation of Dredged
                                                Committee should recognize that                         the use of the sites.                                 Material Disposal Site(s) in Eastern Long
                                                exceptional circumstances may result in                                                                       Island Sound, Connecticut and New York.
                                                delays meeting an objective. Exceptional                X. Supporting Documents                               U.S. Environmental Protection Agency,
                                                circumstances should be infrequent,                       1. EPA Region 1/USACE NAE. 2005.                    Region 1, Boston, MA. April 2016.
                                                irregular and unpredictable. It is                      Response to Comments on the Final                        11. USACE NAE. 2016a. Memorandum
                                                expected that each of the member                        Environmental Impact Statement for the                from USACE New England District to EPA
                                                agencies will commit the necessary                      Designation of Dredged Material Disposal              Region 1 with updated dredging and disposal
                                                                                                        Sites in Central and Western Long Island              capacity needs for Eastern Long Island
                                                resources to support the Long Island                                                                          Sound. U.S. Army Corps of Engineers, New
                                                                                                        Sound, Connecticut and New York. U.S.
                                                Sound RDT and Steering Committee’s                      Environmental Protection Agency, Region 1,            England District. September 2016.
                                                work, including the collection of data                  Boston, MA and U.S. Army Corps of                        12. USACE NAE. 2016b. Memorandum
                                                necessary to support establishing the                   Engineers, New England District, Concord,             from USACE New England District to EPA
                                                baseline and tracking and reporting on                  MA. April 2005.                                       Region 1 with detailed cost estimates for
                                                the future disposition of dredged                         2. EPA Region 1. 2005. Memorandum to                dredged material disposal at different
                                                material.                                               the File Responding to the Letter from the            disposal sites in Long Island Sound. U.S.
                                                   The restrictions also provide that the               New York Department of State Objecting to             Army Corps of Engineers, New England
                                                Steering Committee may utilize the                      EPA’s Federal Consistency Determination for           District. September 2016.
                                                RDT, as appropriate, to carry out the                   the Dredged Material Disposal Site                    XI. Statutory and Executive Order
                                                tasks assigned to it. The Steering                      Designations. U.S. Environmental Protection
                                                                                                        Agency, Region 1, Boston, MA. May 2005.
                                                                                                                                                              Reviews
                                                Committee, with the support of the
                                                                                                          3. EPA Region 1/USACE NAE. 2004. Final              1. Executive Order 12866: Regulatory
                                                RDT, will guide a concerted effort to                   Environmental Impact Statement for the
                                                encourage greater use of beneficial use                                                                       Planning and Review and Executive
                                                                                                        Designation of Dredged Material Disposal              Order 13563: Improving Regulation and
                                                alternatives, including piloting                        Sites in Central and Western Long Island
                                                alternatives, identifying possible                      Sound, Connecticut and New York. U.S.
                                                                                                                                                              Regulatory Review
                                                resources and eliminating regulatory                    Environmental Protection Agency, Region 1,               This action is not a significant
                                                barriers as appropriate.                                Boston, MA and U.S. Army Corps of                     regulatory action, as defined in the
                                                   As described in the Proposed Rule,                   Engineers, New England District, Concord,             Executive Order, and therefore was not
                                                see 81 FR 24765, the restrictions                       MA. March 2004.                                       submitted to the Office of Management
                                                establish the Long Island Sound RDT.                      4. EPA Region 1/USACE NAE. 2004.                    and Budget (OMB) for review.
                                                See also 81 FR 44229–44230 (40 CFR                      Regional Implementation Manual for the
                                                228.15(b)(4)(vi)(E) and (F)). The purpose
                                                                                                        Evaluation of Dredged Material Proposed for           2. Paperwork Reduction Act (PRA)
                                                                                                        Disposal in New England Waters. U.S.
                                                of the RDT reflects its role and                        Environmental Protection Agency, Region 1,
                                                                                                                                                                 This action does not impose an
                                                relationship to the Steering Committee.                 Boston, MA, and U.S. Army Corps of                    information collection burden under the
                                                The purpose of the RDT is to: (1) Review                Engineers, New England District, Concord,             PRA because it would not require
                                                dredging projects and report to USACE                   MA. April 2004.                                       persons to obtain, maintain, retain,
                                                on its review within 30 days of receipt                   5. EPA Region 2/USACE NAN. 1992.                    report or publicly disclose information
                                                of project information; (2) assist the                  Guidance for Performing Tests on Dredged              to or for a federal agency.
                                                Steering Committee in the tasks                         Material Proposed for Ocean Disposal. U.S.
                                                                                                        Environmental Protection Agency, Region 2,            3. Regulatory Flexibility Act (RFA)
                                                described above; (3) serve as a forum for
                                                continuing exploration of new                           New York, NY and U.S. Army Corps of                      This action will not have a significant
                                                                                                        Engineers, New York District, New York, NY.           economic impact on a substantial
                                                beneficial use alternatives, matching                   Draft Release. December 1992.
                                                available beneficial use alternatives                                                                         number of small entities under the
                                                                                                          6. EPA/USACE. 1991. Evaluation of
                                                with dredging projects; (4) exploring                   Dredged Material Proposed for Ocean                   Regulatory Flexibility Act (RFA). The
                                                cost-sharing opportunities and                          Disposal Testing Manual. U.S. Environmental           amended restrictions in this rule are
                                                promoting opportunities for beneficial                  Protection Agency, Washington, DC, and U.S.           only relevant for dredged material
                                                use of clean, parent marine sediments                   Army Corps of Engineers, Washington, DC.              disposal projects subject to the MPRSA.
                                                (that underlie surficial sediments and                  EPA–503/8–91/001. February 1991.                      Non-federal projects involving 25,000
                                                are not exposed to pollution) often                       7. Long Island Sound Study. 2015.                   cubic yards or less of material are not
                                                generated in the development of                         Comprehensive Conservation and                        subject to the MPRSA and, instead, are
                                                Confined Aquatic Disposal cells; and (5)                Management Plan for Long Island Sound.                regulated under CWA section 404. This
                                                                                                        Long Island Sound Management Conference.
                                                assist the USACE and EPA in                                                                                   action will, therefore, have no effect on
                                                                                                        September 2015.
                                                continuing long-term efforts to monitor                   8. NYSDEC and CTDEP. 2000. A total                  such projects. ‘‘Small entities’’ under
                                                dredging impacts in Long Island Sound.                  maximum daily load analysis to achieve                the RFA are most likely to be involved
                                                The membership of the RDT will                          water quality standards for dissolved oxygen          with smaller projects not covered by the
                                                comprise representatives from the states                in Long Island Sound. Prepared in                     MPRSA. Therefore, EPA does not
                                                of Connecticut and New York, EPA,                       conformance with section 303(d) of the Clean          believe a substantial number of small
                                                USACE, and, as appropriate, other                       Water Act and the Long Island Sound Study.            entities will be affected by today’s rule.
                                                federal and state agencies. State                       New York State Department of                          Furthermore, the amendments to the
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                                                participation on the RDT is voluntary.                  Environmental Conservation, Albany, NY                restrictions also will not have
                                                                                                        and Connecticut Department of
                                                The geographic scope of the RDT, as                                                                           significant economic impacts on a
                                                                                                        Environmental Protection, Hartford, CT.
                                                well as details for the structure and                   December 2000.                                        substantial number of small entities
                                                process of the RDT, are unchanged from                    9. USACE NAE. 2016. Final Long Island               because they will primarily create
                                                the Proposed Rule.                                      Sound Dredged Material Management Plan                requirements to be followed by
                                                   Finally, the restrictions provide that if            and Final Programmatic Environmental                  regulatory agencies rather than small
                                                the volume of open-water disposal of                    Impact Statement—Connecticut, Rhode                   entities, and will create requirements


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                                                87842            Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations

                                                (i.e., the standards and procedures)                    8. Executive Order 13211: Actions                     necessary to implement the policy set
                                                intended to help ensure satisfaction of                 Concerning Regulations That                           forth in section 2 of this order and the
                                                the existing regulatory requirement (see                Significantly Affect Energy Supply,                   stewardship principles and national
                                                40 CFR 227.16) that practicable                         Distribution or Use                                   priority objectives as set forth in the
                                                alternatives to the ocean dumping of                       This action is not subject to Executive            Final Recommendations and subsequent
                                                dredged material be utilized.                           Order 13211, because it is not a                      guidance from the Council.’’ The
                                                                                                        significant regulatory action under                   policies in section 2 of Executive Order
                                                4. Unfunded Mandates Reform Act                                                                               13547 include, among other things, the
                                                                                                        Executive Order 12866.
                                                (UMRA)                                                                                                        following: ‘‘. . . it is the policy of the
                                                                                                        9. National Technology Transfer and                   United States to: (i) Protect, maintain,
                                                   This action does not contain any                     Advancement Act (NTTAA)                               and restore the health and biological
                                                unfunded mandate as described in                                                                              diversity of ocean, coastal, and Great
                                                                                                           This rulemaking does not involve
                                                UMRA, 2 U.S.C. 1531–1538, and does                      technical standards.                                  Lakes ecosystems and resources; [and]
                                                not significantly or uniquely affect small                                                                    (ii) improve the resiliency of ocean,
                                                governments. The action imposes no                      10. Executive Order 12898: Federal
                                                                                                                                                              coastal, and Great Lakes ecosystems,
                                                enforceable duty on any state, local or                 Actions To Address Environmental
                                                                                                                                                              communities, and economies . . . .’’ As
                                                tribal governments or the private sector.               Justice in Minority Populations and
                                                                                                                                                              with Executive Order 13158 (Marine
                                                                                                        Low-Income Populations
                                                5. Executive Order 13132: Federalism                                                                          Protected Areas), the overall purpose of
                                                                                                          The EPA concludes that this action                  the Executive Order is to promote
                                                  This action does not have federalism                  will not have a disproportionate adverse              protection of ocean and coastal
                                                implications. It will not have substantial              human health or environmental effect                  environmental resources.
                                                direct effects on the states, on the                    on minority, low-income, or indigenous                   The EPA expects that this Final Rule
                                                relationship between the national                       populations.                                          will afford additional protection to the
                                                government and the states, or on the                    11. Executive Order 13158: Marine                     waters of Long Island Sound and the
                                                distribution of power and                               Protected Areas                                       organisms that inhabit them. Building
                                                responsibilities among the various                                                                            on the existing protections of the
                                                                                                           Executive Order 13158 (65 FR 34909,                MPRSA and the ocean dumping
                                                levels of government. Through the                       May 31, 2000) requires EPA to                         regulations, the rule is designed to
                                                Steering Committee and RDT process,                     ‘‘expeditiously propose new science-                  promote the reduction or elimination of
                                                however, this action will provide a                     based regulations, as necessary, to                   open-water disposal of dredged material
                                                vehicle for facilitating the interaction                ensure appropriate levels of protection               in Long Island Sound even as it
                                                and communication of interested federal                 for the marine environment.’’ EPA may                 facilitates necessary dredging.
                                                and state agencies concerned with                       take action to enhance or expand
                                                regulating dredged material disposal in                 protection of existing marine protected               13. Congressional Review Act
                                                Long Island Sound.                                      areas and to establish or recommend, as                  The Congressional Review Act, 5
                                                                                                        appropriate, new marine protected                     U.S.C. 801 et seq., as added by the Small
                                                6. Executive Order 13175: Consultation                  areas. The purpose of the Executive                   Business Regulatory Enforcement
                                                and Coordination With Indian Tribal                     Order is to protect the significant                   Fairness Act of 1996, generally provides
                                                Governments                                             natural and cultural resources within                 that before a rule may take effect, the
                                                                                                        the marine environment, which means,                  agency promulgating the rule must
                                                  This action does not have tribal
                                                                                                        ‘‘those areas of coastal and ocean                    submit a rule report, which includes a
                                                implications as specified in Executive                  waters, the Great Lakes and their
                                                Order 13175 because the proposed                                                                              copy of the rule, to each House of the
                                                                                                        connecting waters, and submerged lands                Congress and to the Comptroller General
                                                restrictions will not have substantial                  thereunder, over which the United                     of the United States. EPA will submit a
                                                direct effects on Indian tribes, on the                 States exercises jurisdiction, consistent             report containing this rule and other
                                                relationship between the federal                        with international law.’’                             required information to the U.S. Senate,
                                                government and Indian tribes, or the                       The EPA expects that this Final Rule               the U.S. House of Representatives, and
                                                distribution of power and                               will afford additional protection to the              the Comptroller General of the United
                                                responsibilities between the federal                    waters of Long Island Sound and                       States prior to publication of the rule in
                                                government and Indian tribes. EPA                       organisms that inhabit them. Building                 the Federal Register. A ‘‘major rule’’
                                                coordinated with all Indian Tribal                      on the existing protections of the                    cannot take effect until 60 days after it
                                                Governments in the vicinity of the                      MPRSA and the ocean dumping                           is published in the Federal Register.
                                                proposed action and consulted with the                  regulations, the rule is designed to                  This action is not a major rule as
                                                Shinnecock Tribal Nation in making                      promote the reduction or elimination of               defined by 5 U.S.C. 804(2). This rule
                                                this determination.                                     open-water disposal of dredged material               will be effective 30 days after date of
                                                                                                        in Long Island Sound, and, at the same                publication.
                                                7. Executive Order 13045: Protection of                 time, to ensure that any such disposal
                                                Children From Environmental Health                      that occurs will be conducted in an                   List of Subjects in 40 CFR Part 228
                                                Risks and Safety Risks                                  environmentally sound manner.                           Environmental protection, Water
                                                  This action is not subject to Executive               12. Executive Order 13547: Stewardship                pollution control.
                                                Order 13045 because it is not                           of the Ocean, Our Coasts, and the Great                 Dated: November 4, 2016.
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                                                economically significant as defined in                  Lakes                                                 H. Curtis Spalding,
                                                Executive Order 12866, and because the                    Section 6(a)(i) of Executive Order                  Regional Administrator, EPA Region 1—New
                                                EPA does not believe the environmental                  13547, (75 FR 43023, July 19, 2010)                   England.
                                                health or safety risks addressed by this                requires, among other things, EPA and                   For the reasons stated in the
                                                action present a disproportionate risk to               certain other agencies ‘‘. . . to the                 preamble, title 40, chapter I, of the Code
                                                children.                                               fullest extent consistent with applicable             of Federal Regulations is amended as set
                                                                                                        law [to] . . . take such action as                    forth below.


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                                                                 Federal Register / Vol. 81, No. 234 / Tuesday, December 6, 2016 / Rules and Regulations                                          87843

                                                PART 228—CRITERIA FOR THE                               DEPARTMENT OF HEALTH AND                              agencies must implement to operate
                                                MANAGEMENT OF DISPOSAL SITES                            HUMAN SERVICES                                        high quality Head Start or Early Head
                                                FOR OCEAN DUMPING                                                                                             Start programs and provide a structure
                                                                                                        Administration for Children and                       to monitor and enforce quality
                                                ■ 1. The authority citation for part 228                Families                                              standards.
                                                                                                                                                                 Our performance standards highlight
                                                continues to read as follows:
                                                                                                        45 CFR Part 1302                                      child safety as a top priority. We
                                                    Authority: 33 U.S.C. 1412 and 1418.                                                                       strengthen our criminal background
                                                                                                        RIN 0970–AC63
                                                ■ 2. Section 228.15 is amended by                                                                             checks process at 45 CFR 1302.90(b), in
                                                revising paragraph (b)(4)(vi)                           Head Start Program                                    the final rule, to reflect changes in the
                                                                                                                                                              Improving Head Start for School
                                                introductory text and adding paragraph                  AGENCY:  Office of Head Start (OHS),                  Readiness Act of 2007 (Act), 42 U.S.C.
                                                (b)(6) to read as follows:                              Administration for Children and                       9801 et seq., and to complement
                                                § 228.15 Dumping sites designated on a                  Families (ACF), Department of Health                  background check requirements in the
                                                final basis.                                            and Human Services (HHS).                             Child Care and Development Block
                                                                                                        ACTION: Final rule; delay of compliance               Grant (CCDBG) Act of 2014, 20 U.S.C.
                                                *       *     *    *     *
                                                                                                        date.                                                 1431 et seq., 20.
                                                   (b) * * *                                                                                                     In the SUPPLEMENTARY INFORMATION
                                                   (4) * * *                                            SUMMARY:   The Office of Head Start will              section of the final rule, we provided a
                                                                                                        delay the compliance date for                         table, Table 1: Compliance Table that
                                                   (vi) Restrictions: The designation in                background checks procedures                          lists dates by which programs must
                                                this paragraph (b)(4) sets forth                        described in the Head Start Program                   implement specific standards. We list
                                                conditions for the use of the Central                   Performance Standards final rule that                 August 1, 2017 as the date by which
                                                Long Island Sound (CLDS), Western                       was published in the Federal Register                 programs must comply with background
                                                Long Island Sound (WLDS) and Eastern                    on September 6, 2016. We are taking                   checks performance standards at 45 CFR
                                                Long Island Sound (ELDS) Dredged                        this action to afford programs more time              1302.90(b)(2), (4), and (5) in the final
                                                Material Disposal Sites. These                          to implement systems that meet the                    rule.
                                                conditions apply to all disposal subject                background checks procedures and to                      Generally, before a person is hired, we
                                                to the MPRSA, namely, all federal                       align with deadlines for states                       require programs to conduct a sex
                                                projects and nonfederal projects greater                complying with background check                       offender registry check and obtain either
                                                than 25,000 cubic yards. All references                 requirements found in the Child Care                  a state or tribal criminal history records,
                                                to ‘‘permittees’’ shall be deemed to                    and Development Block Grant (CCDBG)                   including fingerprint checks, or a
                                                include the U.S. Army Corps of                          Act of 2014.                                          Federal Bureau of Investigation (FBI)
                                                Engineers (USACE) when it is                            DATES: The compliance date for the                    criminal history records, including
                                                authorizing its own dredged material                    background checks procedures                          fingerprint checks, before a person is
                                                disposal from a USACE dredging                          described in 45 CFR 1302.90(b) is                     hired. This performance standard under
                                                project. The conditions for this                        delayed until September 30, 2017.                     section 1302.90(b)(1) became effective
                                                                                                                                                              the date the final rule was published.
                                                designation are as follows:                             FOR FURTHER INFORMATION CONTACT:
                                                                                                                                                              Programs were to have systems in place,
                                                *       *     *    *     *                              Colleen Rathgeb, Division Director of                 by August 1, 2017, to accommodate this
                                                                                                        Early Childhood Policy and Budget,                    part of the background checks process.
                                                   (6) Eastern Long Island Sound
                                                                                                        Office of Early Childhood Development,                   In sections 1302.90 (b)(2), (4), and (5),
                                                Dredged Material Disposal Site (ELDS).
                                                                                                        OHS_NPRM@acf.hhs.gov, (202) 358–                      we afford programs 90 days to obtain
                                                   (i) Location: Corner Coordinates                     3263 (not a toll-free call). Deaf and                 which ever check they could not obtain
                                                (NAD83) 41°15.81′ N., 72°05.23′ W.;                     hearing impaired individuals may call                 before the person was hired, as well as
                                                41°16.81′ N., 72°05.23′ W.; 41°16.81′ N.,               the Federal Dual Party Relay Service at               child abuse and neglect state registry
                                                72°07.22′ W.; 41°15.97′ N., 72°07.22′ W.;               1–800–877–8339 between 8 a.m. and 7                   check, if available; we require programs
                                                41°15.81′ N., 72°06.58′ W.                              p.m. Eastern Standard Time.                           to have systems in place that ensure
                                                   (ii) Size: A 1 x 1.5 nautical mile                   SUPPLEMENTARY INFORMATION: The Head                   these newly hired employees do not
                                                irregularly-shaped polygon, with an area                Start program provides grants to local                have unsupervised access to children
                                                of 1.3 square nautical miles (nmi2) due                 public and private non-profit and for-                until their background process is
                                                to the exclusion of bedrock areas. North-               profit agencies to provide                            complete; and we require programs to
                                                central bedrock area corner coordinates                 comprehensive child development                       conduct complete background checks
                                                (NAD83) are: 41°16.34′ N., 72°05.89′ W.;                services to economically disadvantaged                that consist of a sex offender registry
                                                41°16.81′ N., 72°05.89′ W.; 41°16.81′ N.,               children and families and to help                     check, state or tribal history records,
                                                72°06.44′ W.; 41°16.22′ N., 72°06.11′ W.                preschoolers develop the skills they                  including fingerprint checks and an FBI
                                                                                                        need to be successful in school. We                   criminal history records, including
                                                   (iii) Depth: Ranges from 59 to 100 feet              amended our Head Start program                        fingerprint check, as well as a child
                                                (18 m to 30 m).                                         performance standards in a final rule                 abuse and neglect state registry check, if
                                                   (iv) Primary use: Dredged material                   that published in the Federal Register                available, for each employee at least
                                                disposal.                                               on September 6, 2016.                                 once every five years.
                                                                                                           Head Start Program Performance                        We believe programs will need more
                                                   (v) Period of use: Continuing use.
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                                                                                                        Standards are the foundation for Head                 time to implement systems to complete
                                                   (vi) Restrictions: See paragraphs                    Start’s mission to deliver                            the backgrounds checks process listed at
                                                (b)(4)(vi)(A) through (N) of this section.              comprehensive, high-quality                           sections 1302.90(b)(2), (4), and (5) in our
                                                *       *     *    *     *                              individualized services to support                    final rule. Also, we recognize most
                                                [FR Doc. 2016–27546 Filed 12–5–16; 8:45 am]             children from low-income families                     states will have systems that can
                                                BILLING CODE 6560–50–P                                  prepare for school. They outline                      accommodate our programs’ background
                                                                                                        requirements grantees and delegate                    checks requests by September 30, 2017.


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Document Created: 2016-12-06 02:18:17
Document Modified: 2016-12-06 02:18:17
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis final rule is effective on January 5, 2017.
ContactJean Brochi, U.S. Environmental Protection Agency, New England Regional Office, 5 Post Office Square, Suite 100, Mail Code: OEP06-1, Boston, MA 02109-3912, telephone (617) 918-1536, electronic mail: [email protected]
FR Citation81 FR 87820 
CFR AssociatedEnvironmental Protection and Water Pollution Control

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