82_FR_18782 82 FR 18706 - Magnuson-Stevens Fishery Conservation and Management Act Provisions; Fisheries of the Northeastern United States; Northeast Groundfish Fishery; Amendment 18

82 FR 18706 - Magnuson-Stevens Fishery Conservation and Management Act Provisions; Fisheries of the Northeastern United States; Northeast Groundfish Fishery; Amendment 18

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 82, Issue 76 (April 21, 2017)

Page Range18706-18716
FR Document2017-08035

This final rule implements Amendment 18 to the Northeast Multispecies Fishery Management Plan. The New England Fishery Management Council developed Amendment 18 to promote fleet diversity and in the groundfish fishery, prevent the acquisition of excessive shares of permits, and enhance sector management. This action limits the number of permits and annual groundfish allocation that an entity can hold. This action also removes several effort restrictions to increase operational flexibility for fishermen on limited access handgear vessels.

Federal Register, Volume 82 Issue 76 (Friday, April 21, 2017)
[Federal Register Volume 82, Number 76 (Friday, April 21, 2017)]
[Rules and Regulations]
[Pages 18706-18716]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-08035]



[[Page 18706]]

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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

50 CFR Part 648

[Docket No. 150630567-7360-02]
RIN 0648-BF26


Magnuson-Stevens Fishery Conservation and Management Act 
Provisions; Fisheries of the Northeastern United States; Northeast 
Groundfish Fishery; Amendment 18

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

ACTION: Final rule.

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SUMMARY: This final rule implements Amendment 18 to the Northeast 
Multispecies Fishery Management Plan. The New England Fishery 
Management Council developed Amendment 18 to promote fleet diversity 
and in the groundfish fishery, prevent the acquisition of excessive 
shares of permits, and enhance sector management. This action limits 
the number of permits and annual groundfish allocation that an entity 
can hold. This action also removes several effort restrictions to 
increase operational flexibility for fishermen on limited access 
handgear vessels.

DATES: This rule is effective May 22, 2017, except for the amendments 
to Sec. Sec.  648.82(b) and 648.87(c), which will be effective on May 
1, 2017.

ADDRESSES: Copies of Amendment 18, including the Environmental Impact 
Statement, the Regulatory Impact Review, and the Initial Regulatory 
Flexibility Analysis prepared in support of the proposed rule are 
available from Thomas A. Nies, Executive Director, New England Fishery 
Management Council, 50 Water Street, Mill 2, Newburyport, MA 01950. The 
supporting documents are also accessible via the Internet at: http://www.nefmc.org/management-plans/northeast-multispecies or http://www.greateratlantic.fisheries.noaa.gov/sustainable/species/multispecies.
    A copy of the record of decision for the Final Environmental Impact 
Statement can be obtained from the NOAA Fisheries Greater Atlantic 
Regional Fisheries Office, 55 Great Republic Drive, Gloucester, MA 
01930.
    Written comments regarding the burden-hour estimates or other 
aspects of the collection-of-information requirements contained in this 
final rule may be submitted to the Greater Atlantic Regional Fisheries 
Office (address above) or the Office of Management and Budget by email 
[email protected], or fax to (202) 395-7285.

FOR FURTHER INFORMATION CONTACT: William Whitmore, Fishery Policy 
Analyst, phone: 978-281-9182; email: [email protected].

SUPPLEMENTARY INFORMATION: 

Background

    This action approves and implements the management measures in 
Amendment 18 to the Northeast (NE) Multispecies Fishery Management Plan 
(FMP). The measures for this action were explained in a notice of 
availability published on December 6, 2016 (81 FR 87862), and a 
proposed rule that published on December 20, 2016 (81 FR 92761). NMFS 
approved Amendment 18 on March 6, 2017.

Summary of Approved Measures

1. Accumulation Limits

Accumulation Limit Guidelines
    Amendment 18 includes several general measures detailing how permit 
accumulation limits are applied.
     Accumulation limits apply to individuals, permit banks, 
and other entities, including groundfish sectors, at the individual 
permit and potential sector contribution (PSC) level.
     Accumulation limits do not apply to the amount of annual 
groundfish allocated to a sector, technically referred to as a sector's 
annual catch entitlement, or ACE.
     Accumulation limits may be modified in a future framework 
due to changes from a Federal permit buyback or buyout.
     If an entity held permits or PSC on the control date 
(April 7, 2011) that exceed the accumulation limits, it is exempt from 
the accumulation limit, but is restricted to holding no more permits or 
PSC than it held as of the control date. The grandfathered holdings may 
be fished or leased by the entity but are not transferrable. Current 
analyses show that no entity exceeds the control date accumulation 
limits.
     There is no calculation of partial ownership when 
considering accumulation limits. Any entity that is a partial owner is 
assumed to have full-ownership when calculating permit and PSC 
accumulation limits.
Excessive Shares
    This action imposes accumulation limits to prevent the acquisition 
of excessive shares. For Amendment 18 analyses purposes, an excessive 
share of fishing privileges was interpreted as a share of PSC that 
would allow an entity to influence the market to its advantage (i.e., 
exert market power). Based on this analysis, it was determined that no 
entity currently holds excessive shares. Also, analysis showed that the 
accumulation limits and the associated measures established in this 
action should sufficiently prevent an entity from acquiring an 
excessive share of fishing permits and exerting market power over the 
fishery. The limits were also designed, though, to avoid placing 
adverse impacts on fishing entities that would reduce operational 
flexibility and market efficiency.
Limiting the Number of Permits
    This action limits an entity to holding no more than 5 percent of 
all limited access groundfish permits. An entity is prohibited from 
acquiring a permit that would result in it exceeding the 5-percent 
permit cap. As of February 21, 2017, there were 1,335 limited access 
permits in the fishery; a 5-percent cap would limit an entity to 67 
permits. The most permits held by any entity was 50. Based on this 
information, this permit cap is unlikely to immediately restrict any 
entity.
Limiting the Potential Sector Contribution
    This action also limits an entity to holding no more than an 
aggregated average of all allocated groundfish stocks to 15.5 PSC. With 
15 groundfish stocks currently allocated to the fishery, the total PSC 
across all stocks used by an individual or an entity can be no more 
than 232.5 (an average PSC of 15.5 percent per stock multiplied by 15 
stocks). This allows an entity to hold PSC for a single stock in excess 
of 15.5 percent, so long as the total holdings used do not exceed 
232.5. If the number of allocated groundfish stocks increases or 
decreases in the future, then this aggregate number (232.5) would 
increase or decrease by 15.5 per stock. As of February 21, 2017, no 
entity holds more than 141 PSC. Based on this information, the PSC 
limit is unlikely to immediately restrict any entity.
    Compared to other PSC limits that the Council considered, this 
option is the least restrictive because there is no stock-specific 
limit. Further, an entity would be permitted to purchase a vessel 
permit during a fishing year that would result in exceeding the 
aggregate 232.5 PSC limit. In this case, the entity must render at 
least one permit unusable (or ``shelve'' the permit) so that the entity 
is not operating above the PSC limit the following fishing year. Any 
permit that is shelved may not be enrolled in a sector, fished, or 
leased, but could be sold. An entity is prohibited from

[[Page 18707]]

purchasing additional permits once it exceeds the PSC limit. This is 
intended to provide operational flexibility for permit holders while 
still restricting them to the overall accumulation limit. This measure 
balances restrictions that are expected to sufficiently prevent 
excessive shares while avoiding adverse effects on market efficiency 
and flexibility.
    Additional information on these accumulation limits is available in 
the Amendment 18 environmental impact statement and the proposed rule.
Effect of Combined Accumulation Limits
    The combination of the PSC limit and 5 percent permit cap raises 
the difficulty and cost of acquiring enough permits and PSC for any one 
entity in the groundfish fishery to exert market power over the 
fishery. Analyses in Amendment 18 conclude that no entity currently has 
an excessive share of permits. Analyses also show that the maximum 
allocation an entity could acquire would be around 20 PSC for the 
majority of stocks, though PSC for certain stocks, such as Georges Bank 
winter flounder, could be acquired at higher levels than other stocks. 
Any payoff from obtaining excessive shares would not be realized for 
many years, if at all. Therefore, the combination of an aggregate PSC 
limit of 232.5 and a 5-percent permit cap should be sufficient to 
prevent market power from being exerted.
Transfer of Permits by an Individual Entity That Has Exceeded the PSC 
Limit
    We expressed concern in the proposed rule that Amendment 18 does 
not include permit transfer restrictions on an individual entity that 
has exceeded the permit accumulation limit. We determined this could 
potentially create an unintended loophole that would allow transfers to 
related parties. Such transfers could result in family members 
controlling permits or PSC in excess of the limits. We argued this was 
inconsistent with the Council's intent for Amendment 18 to limit an 
entity's holdings to a level that would prevent exerting market power. 
We requested public comment on a restriction we proposed that would 
require permit transfers from an entity with a PSC greater than the PSC 
limit to be made via an ``arm's-length'' transaction. For example, an 
arm's-length transaction would be a permit transfer in the ordinary 
course of business between independent and unrelated entities, which 
would result in the owner who exceeded the limit maintaining no 
interest in or control over the transferred permit and its PSC.
    We view this restriction to be consistent with the Council's intent 
and the goals and objectives for the Amendment. This measure also 
improves the enforceability of the PSC accumulation limit. As a result, 
using our authority under section 305(d) of the Magnuson-Stevens 
Fishery Conservation and Management Act (Magnuson-Stevens Act), we are 
adding regulations to require that a permit transfer for individuals 
that have exceeded the accumulation limit to be by an arm's-length 
transaction.
Future Changes to Accumulation Limits
    Accumulation limits can be modified through a future framework 
adjustment if a vessel/permit buyback or buyout were enacted in the 
groundfish fishery. However, any other changes to the accumulation 
limits would require an amendment to the FMP. We encourage the Council 
to revisit the accumulation limits established in this Amendment if 
unanticipated developments adversely affect the goals and objectives of 
this Amendment. For example, a substantial reduction in the number of 
NE multispecies limited access permits (due to permit holders 
relinquishing their permits) could dramatically reduce the permit cap.
Ownership Interest
    In order for an accumulation limit to be developed and applied, it 
is necessary to first define the ownership interest that will be 
limited. A unique definition of ownership interest as applied to the 
groundfish fishery is added in section 50 CFR 648.2 of the regulations. 
To identify ownership interests and account for accumulation limits in 
the groundfish fishery, a permit holder is required to identify all 
persons who hold an ownership interest in a particular permit when 
submitting a groundfish permit application or renewal form for that 
permit.

2. Handgear A Measures

    To reduce effort controls and increase flexibility for small boat 
fishermen, this action removes or modifies several management measures 
affecting limited access permitted handgear vessels (Handgear A 
vessels).
    First, this action removes the March 1-20 spawning-block closure 
for all Handgear A vessels. Fishing effort by Handgear A vessels is 
restricted by a very small annual catch limit, and vessels are subject 
to other spawning closures. This measure makes the regulations for 
Handgear A vessels more consistent with vessels fishing in sectors, 
which account for most of the groundfish fishing effort and are already 
exempt from the 20-day spawning block. This measure is not anticipated 
to have any substantial biological consequences and will provide 
additional fishing opportunities for Handgear A vessels.
    Handgear A vessels are no longer required to carry a standard fish 
tote on board. This requirement was initially implemented to aid in the 
sorting and weighing of fish by both fishermen and enforcement 
personnel. However, enforcement no longer uses totes for at-sea weight 
and volume estimates, so the requirement for vessels to carry a tote is 
no longer necessary.
    Lastly, this action allows a sector to request an exemption from 
the requirement for Handgear A vessels to use a Vessel Monitoring 
System (VMS). Handgear A fishermen enrolled in a sector are currently 
required to utilize a VMS; however, installing and utilizing a VMS 
system makes enrolling in a sector cost prohibitive for these small 
vessels. Any sector interested in utilizing this exemption is required 
to submit an exemption request to us for approval. If a sector 
exemption were approved, a Handgear A vessel fishing within a sector 
utilizing the exemption would declare its trips through the interactive 
voice response call-in system instead of through a VMS. This measure is 
intended to encourage Handgear A vessels to enroll in a sector by 
reducing operating expenses. Sectors receive regulatory exemptions and 
larger allocations that could provide additional flexibility and 
fishing opportunities to Handgear A vessels.

Measures That Can Be Addressed in a Future Framework

    This action allows two measures analyzed in Amendment 18 to be 
implemented through a future framework action. The Council explored 
establishing a separate, optional allocation for the Handgear A 
fishery. Additionally, there was some interest in considering separate 
management measures for an inshore/offshore Gulf of Maine (GOM) 
boundary, including separate allocations for inshore and offshore GOM 
cod. However, because current catch limits for key groundfish stocks, 
including GOM cod, are so low, further sub-dividing allocations for 
Handgear A, as well as inshore and offshore GOM cod, were controversial 
and would be difficult to develop and implement at this time. As a 
result, the Council elected to potentially consider these measures in a 
future framework.
    In addition, several regulatory clarifications are included at 
Sec.  648.90 to

[[Page 18708]]

better delineate the responsibilities of the groundfish plan 
development team (PDT) as well as which Council management measures 
could be modified in a future framework.

Comments and Responses on Amendment 18 and the Measures Proposed in the 
Amendment 18 Proposed Rule

    We received 15 comments during the public comment period on the 
Amendment 18 proposed rule. We specifically requested comments on the 
Council's proposed measures in Amendment 18 and whether they are 
consistent with the NE Multispecies FMP, the Magnuson-Stevens Act and 
its National Standards, and other applicable law. Eight commenters, 
including the Associated Fisheries of Maine (AFM), Environmental 
Defense Fund (EDF), Northwest Atlantic Marine Alliance (NAMA), 
Massachusetts Division of Marine Fisheries (MADMF), Penobscot East 
Resource Center (PERC), Conservation Law Foundation (CLF), and a few 
commercial fishermen wrote in general opposition to the measures 
proposed in Amendment 18. The Northeast Seafood Coalition (NSC) and 
Gloucester Fishermen's Community Preservation Fund (GFCPF) supported 
the Amendment. We consolidated responses to similar comments and our 
responses are below.

Comments on the Amendment 18 Environmental Impact Statement

    Comment 1: One commenter suggested including more details on 
information and opinions expressed by fishing stakeholders during the 
Amendment 18 public meeting sessions. This commenter also suggested 
that the pros and cons of sector management and Amendment 18 be linked 
more clearly.
    Response: Ample information and documentation was available to the 
Council, NMFS, and the public during this decision making process. In 
addition to topical summaries in section 3.4 of Amendment 18, Appendix 
II has a 30-page summary of the public hearings, including both oral 
and written comments on the Amendment. Responses to those public 
comments are included in Appendix III and provide an adequate 
description of stakeholder concerns. Section 7.6.1.2 of Amendment 18 
includes a social impact analysis that reviews the impacts on fishermen 
and fishing communities. The influence and interactions of sector 
management with the groundfish fishery and fishing communities were 
also described in the Compass Lexecon report summarized in the 
Amendment and the proposed rule. This report is also publically 
available online at http://archive.nefmc.org/nemulti/planamen/Amend%2018/compass_lexecon/NEMFC%20Report%20Final.pdf.
    Comment 2: One commenter argued that there is minimal discussion on 
how the accumulation limits and catch caps will affect the future 
viability of the fleet, and that more should be included.
    Response: Analyses of the social and economic impacts of the 
accumulation limits are included in section 7.6.2 of Amendment 18, as 
well as the regulatory impact review, in Section 9.11. These analyses 
include a discussion of both the short and long-term impacts of the 
alternatives, which are also summarized in Table 1 of the Amendment.

Amendment 18 Goals and Objectives

    Comment 3: Many commenters, including those that generally 
supported and opposed the Amendment, argued that the proposed 
management measures would not meet the goals and objectives of 
Amendment 18. The general concern was that consolidation would still 
occur and that fleet diversity would not be promoted as a result.
    Response: Management measures in Amendment 18 do address the goals 
and objectives of the Amendment.
    Accumulation limits address goals 1, 3, and 4 of the Amendment by 
making it unlikely an entity could gain an excessive share of the 
fishery and exert market power over other fishermen and stakeholders. A 
detailed discussion of the goals and objectives was provided in the 
Amendment and the preamble to the proposed rule. The goals and 
objectives include promoting fleet diversity, upholding a resilient and 
stable fishery, and preventing any individual or entity from acquiring 
or controlling an excessive share of the fishery. Amendment 18 
acknowledges that it is likely additional consolidation may occur with 
these accumulation limits in place. However, it is not expected to 
occur to the extent where an entity could acquire an excessive share 
and exert market power over other entities. Curbing consolidation helps 
to maintain diversity even to a limited degree. While other measures 
considered were more restrictive, the measures adopted by the Council 
achieve the goals and objectives. As a result, establishing 
accumulation limits promotes a more diverse and stable groundfish 
fishery. Comments 5-14 below provide a detailed discussion on the 
accumulation limits.
    Measures modifying and removing limited access handgear fishery 
restrictions address goals 1, 2, and 3 within the Amendment.
    Comment 4: Several members of the fishing industry and industry 
organizations contend that increasing operational flexibility, reducing 
business expenses such as at-sea monitoring costs, allocating higher 
and more stable catch limits, reducing input controls, and controlling 
groundfish catch from other fisheries would be more effective 
management measures to address the long-term sustainability of the 
groundfish fleet.
    Response: The Council's intent for Amendment 18 was to develop 
accumulation limits for the groundfish fishery to prevent an entity 
from acquiring an excessive share. This was explained in the Federal 
Register notice that established a control date for such limits (67 FR 
19305; April 7, 2011) and announced at public scoping hearings (76 FR 
79153; December 21, 2011), as well as in the proposed rule for this 
action (81 FR 92763; December 20, 2016). As explained in Comment 3, the 
approved management measures meet the goals and objectives of the 
Amendment.
    The actions suggested by several members of the fishing industry 
could also promote the Amendment 18 goals objectives and are worth 
future consideration by the Council.

Accumulation Limits

    Comment 5: Several commenters were critical of the excessive-shares 
report developed by Compass Lexecon.
    Response: The Council contracted Compass Lexecon to provide an 
independent review of excessive permit shares in the groundfish 
fishery. Preliminary results of the analysis were presented to the 
Council's Groundfish Committee at a number of its meetings so that the 
Committee and the public could comment. The final report was also peer 
reviewed, which allowed for additional opportunities for the public to 
provide input and comment on the analysis. The Council considered the 
final Compass Lexecon report, the peer review reports, public comments 
on the analysis, and other analyses conducted in support of the 
Amendment, when making its decision on Amendment 18 accumulation limit 
alternatives. The peer reviewer reports can be found here at https://www.st.nmfs.noaa.gov/science-quality-assurance/cie-peer-reviews/cie-review-2014.
    Comment 6: Most opponents, including MADMF, CLF, EDF, NAMA, and 
PERC, contend that the proposed accumulation limits are too high and 
will foster further consolidation, which, in turn, reduces fleet 
diversity. Several commenters expressed concern that some entities 
could take advantage of

[[Page 18709]]

low allocations and permit prices to acquire additional permits to 
exert market power over the fishery. On the other hand, supporters of 
the Amendment, such as NSC, argue that the higher accumulation limits 
are necessary to offset constraining quotas, and that a lower 
accumulation limit would have penalized permit holders for what they 
had already acquired.
    Response: Since the approval of Amendment 16 and the expansion of 
sectors in the groundfish fishery, many industry members and 
stakeholders have become increasingly concerned about fleet 
consolidation and the resulting negative impacts on fishing vessels and 
fishing communities. Amendment 18 was developed to address these 
concerns.
    Some fishing industry members and organizations argued for more 
restrictive accumulation limits. Several organizations, such as CLF, 
viewed the establishment of accumulation limits as an opportunity to 
readjust the allocations from Amendment 16. For example, some suggested 
stock-specific PSC limits ranging from 2.5 to 10 PSC, and one commenter 
proposed reducing the permit cap from 5 to 2.5 percent. These limits 
are much more restrictive than the PSC many entities currently have and 
could have adversely affected an entity's ability to adapt to changing 
conditions. Also, limits as restrictive as these could have forced 
divestiture by reallocating PSC from larger businesses to smaller.
    During the development of Amendment 18, annual catch limits for 
many groundfish stocks were significantly reduced. Since there was less 
quota affiliated with each permit, some fishermen acquired more permits 
and PSC to sustain fishing operations and remain viable. Many entities 
and organizations argued that more restrictive accumulation limits 
would have negatively affected many businesses by adversely affecting 
the market for permits and PSC.
    The Council had to balance the need for accumulation limits with 
the need to provide operational flexibility to the fleet. Understanding 
that no entity currently holds an excessive share of the fishery, the 
Council selected the alternative that provides the most operational 
flexibility to the fleet while substantially reducing the risk of an 
entity acquiring an excessive share of permits. If conditions or 
circumstances in the fishery change, the Council can re-visit the 
accumulation limits established through this action if necessary.
    Comment 7: Several commenters provided hypothetical mathematical 
scenarios where entities could acquire large allocations for one or 
more stocks and potentially have an excessive share of permits. For 
example, an entity could acquire a PSC of 50 for stock A, a PSC of 30 
for stock B, a PSC of 30 for stock C, and small allocations of other 
stocks and still be under the PSC limit. Critics contend that this 
would allow an entity to acquire an excessive share.
    Response: While the accumulation limit measures may mathematically 
allow an entity to acquire an excessive share of groundfish permits, it 
is very unlikely this will occur. These ``worst case'' scenarios were 
described in a ``deterministic analysis'' in Amendment 18 (Section 
9.11.1.4.1). This analysis examined how much PSC an entity could 
acquire under the accumulation limits if it were able to purchase the 
permits with the most PSC for a particular stock. For example, an 
entity could acquire either 40 PSC of GOM cod or 73 PSC of Georges Bank 
winter flounder, before reaching an accumulation limit. However, as 
explained in the Amendment and its supporting analyses, the 
deterministic analysis is not necessarily a realistic scenario because 
of the high costs and logistical difficulty of acquiring the specific 
permits that contain the highest PSC for a specific stock that could 
allow an entity to exert market power.
    Amendment 18 also includes a probabilistic analysis, which is a 
model designed to predict the likelihood that an individual could 
strategically acquire permits that have high levels of PSC while 
remaining under the permit cap. The probabilistic analysis concludes 
that this would be very difficult. Under the probabilistic analysis, 
the median accumulation for all stocks was below 20 PSC. The Amendment 
18 economic discussion concludes that the probabilistic analysis is 
much more realistic than the potential PSC limits projected under the 
deterministic analysis. The review also explains that even without the 
accumulation limits, acquiring the necessary permits to hold an 
excessive share would be extremely complex, expensive, and time 
consuming. This may explain why no entity currently holds an excessive 
share of permits, despite years without any limitations.
    The Compass Lexecon report used by the Council to research 
excessive shares in the groundfish fishery also found a substantial 
``competitive fringe'' in several groundfish stocks. A competitive 
fringe is a large group of permit holders who hold a relatively small 
amount of PSC. If the permit holders in the competitive fringe are 
efficient, then they are likely to remain in the fishery and help 
preserve a competitive market structure. In a fishery where there is a 
competitive fringe, an entity could acquire a high PSC of a given stock 
yet be unable to exert market power. The Compass Lexecon report 
concluded that ``an excessive-share cap of about 15 percent would be 
sufficient to ensure low concentration for ACE regardless of the level 
of the competitive fringe. The large competitive fringe for some 
species could allow for a higher share cap, should the [Council] choose 
to recommend separate caps for different species.''
    While the Compass Lexecon recommendation was stock-specific, the 
report did not include a permit cap in addition to the PSC cap. The 
Amendment 18 analyses conclude that combining the PSC limit and permit 
cap should prevent an entity from acquiring an excessive share of 
permits.
    Comment 8: Several commenters, including EDF and CLF, argue the 
Amendment violates National Standards 4 and 8 because the accumulation 
limits do nothing to prevent consolidation of the fleet and do not 
manage fishing access consistent with historical activities.
    Response: We have carefully reviewed the provisions in Amendment 18 
and have determined that the Amendment is consistent with both National 
Standards 4 and 8. Amendment 18 is designed to fairly and equitably 
prevent the acquisition of excessive shares as the fishery 
consolidates. No measures in it are designed to prevent the status quo 
from continuing or an expansion from occurring as stocks recover. By 
putting in place measures designed to prevent the acquisition of 
excessive shares while providing for operational flexibility, this 
action minimizes to the extent practicable the adverse economic effects 
that could accompany such restrictions on the purchase and sales of 
groundfish permits, their PSC, and fishing vessels. An explanation of 
how Amendment 18 meets National Standards 4 and 8 is provided in 
Section 9.1.1 of Amendment 18.
    Amendment 18 suggests that further consolidation is anticipated, 
even with the accumulation limits, but not to the extent where an 
entity could acquire an excessive share of the fishery. Consolidation 
could occur at a greater rate without the accumulation limits 
established through this action. Importantly, the Amendment 18 analysis 
concludes that fishing communities would be worse off if the proposed 
accumulation limits were not implemented because entities would remain 
unconstrained in their ability to acquire permits and PSC, including

[[Page 18710]]

potentially acquiring an excessive share of the fishery. We encourage 
the Council to continue developing additional management measures that 
mitigate fleet consolidation and promote fleet diversity.
    Comment 9: Several commenters, including MADMF, EDF, CLF, and PERC 
suggested that PSC limits should be species or stock-specific instead 
of the aggregate PSC limit adopted in this action. Others, like the 
GFCPF and NSC argued that the PSC limits need to be aggregate because 
groundfish permits include all groundfish stocks and are not severable.
    Response: The Council considered these concerns when developing 
this Amendment. In its report, Compass Lexecon suggested that PSC 
limits should be stock specific. Four of the six PSC limit alternatives 
were stock-specific alternatives. However, proponents of an aggregate 
limit explained that groundfish permits are aggregate permits, with 
each permit containing a PSC for each allocated stock. A stock-specific 
PSC limit would restrict the ability for an entity to acquire 
additional PSC in more than one stock, which is a challenge in a 
multispecies fishery. Because of this, the Council concluded that the 
stock-specific limits may be overly restrictive given the current 
circumstances in the fishery and not necessary at this time. As 
explained above, the Amendment 18 economic analysis concluded that the 
aggregate PSC limit, along with the permit cap, should deter an entity 
from acquiring an excessive share of permits.
    Comment 10: One commenter suggested that accumulation limits should 
include limiting a sector's annual catch entitlement (ACE) at the 
species or stock level.
    Response: The accumulation limits in this action do not apply to a 
sector's ACE. Available analyses show that there is no need for an 
excessive share cap on sector-affiliated ACE because the sectors 
themselves do not control how member vessels use ACE. Since the 
implementation of Amendment 16, each sector has reallocated its ACE to 
its members in a manner consistent with each member's PSC. If a 
groundfish sector were to modify its operations in a manner where it 
began to exercise control over how vessel operators used ACE, it could 
be worthwhile to consider an ACE limit.
    Also, there are no specific regulations that prevent one sector 
from dividing into multiple sectors. If an ACE limit was adopted and a 
sector was at risk of reaching that limit, the members could simply 
break into two separate sectors to avoid the limit, but continue 
operating collaboratively.
    For these reasons, establishing an accumulation limit for sector 
ACE is not necessary at this time and was not included in Amendment 18.
    Comment 11: EDF suggested that fishing associations and permit 
banks should have different PSC caps than individual entities.
    Response: The Council discussed this idea in detail but was never 
able to clearly define a permit bank due to the difficulty of 
identifying and distinguishing different types of owners and permit 
banks. For example, the difference between an individual or 
organization that holds multiple permits and a permit bank is not 
easily defined. Some, such as EDF, argued that non-profits 
(particularly environmental non-government organizations) should have a 
higher PSC limit to promote permit banking operations, while opponents 
were concerned that granting non-profits higher PSC limits could reduce 
fishermen's access to ACE and reduce fishing opportunities and 
landings. Due to these complications, the Council elected not to focus 
on this aspect and selected a single PSC and permit limit for all 
permit holders.
    Comment 12: CLF contends that an entity should not be able to 
exceed the PSC limit and ``shelve'' a permit. It argues that this 
measure would allow an entity to choose which permit to shelve so that 
it could target PSC for a particular species with a higher likelihood 
of achieving market power. CLF also suggested that shelving a permit 
has a similar economic effect on the fishery as fishing it because 
other fishermen are unable to utilize the shelved PSC.
    Response: This measure was selected by the Council because it 
provides fishermen more flexibility when purchasing aggregated 
multispecies permits, for reasons similar to those explained in Comment 
9. The challenge fishermen encounter is that each permit has PSC for 
all groundfish stocks. A fisherman looking to acquire a specific permit 
with a higher PSC in a stock they want or need to target may be unable 
to do so because of PSCs from other stocks on the permit. This measure 
was designed to give fishermen the flexibility to shift target species 
or permits while remaining under the PSC limit. To prevent an entity 
from trying to acquire an excessive share of permits, vessel owners are 
not able to acquire an additional permit if they have shelved a permit. 
The PSC affiliated with a ``shelved'' permit is unusable and is not 
redistributed to the fishery.
    However, we understand some of the concerns expressed by CLF. 
Although the Council was focused on maintaining flexibility, we 
recommend that the Council discuss and reconsider the ability for an 
entity to exceed the PSC limit then ``shelve'' a permit.
    Comment 13: One commenter requested that NMFS specifically codify 
the 5-percent permit cap at 69 permits, which is 5 percent of the 
approximately 1,373 total limited access NE multispecies permits.
    Response: This comment is in direct response to our concern 
expressed in the proposed rule--that an unanticipated dramatic drop in 
limited access permits (due to permit holders relinquishing their 
permits) could substantially reduce the permit cap. For example, when 
Amendment 18 was developed, there were approximately 1,373 limited 
access groundfish permits, which would result in a 5-percent permit cap 
of 69 permits. As of February 21, 2017, there were 1,335 limited access 
groundfish permits, which sets a permit cap at 67 permits. A more 
substantial reduction could greatly reduce the permit cap. As we 
explained in the proposed rule, this issue could be discussed and 
addressed by the Council in a future action, if necessary. We are not 
including regulations specifying a specific number of permits for the 
permit cap because we determined it would not be consistent with the 
Council's intent to limit the degree of consolidation.
    Comment 14: Three commenters supported, and two commenters opposed, 
our suggestion that permit transfers for entities who have exceeded the 
PSC limit and ``shelved'' permits should be transferred via an ``arm's-
length'' transaction. Those commenters in opposition suggested that the 
measure should first be considered and discussed by the Council.
    Response: As explained in the preamble above, the arm's-length 
transaction requirement closes a loophole to the PSC limit restriction. 
Without this additional restriction, a loophole could allow an entity 
to indirectly acquire an excessive share of the fishery through 
collusion of permit holdings. This measure improves the enforceability 
of the PSC accumulation limit and ensures that the limit is a real 
limit, not just a limit on paper. Without the arm's-length transfer 
requirement, an entity could undermine the intent of the accumulation 
limits by transferring a permit to a family member or other entity the 
transferor controls indirectly. The Council did not provide public 
comment on this measure; however, we determined that ensuring the 
limits are

[[Page 18711]]

effective is consistent with the Council's intent and the goals and 
objectives of Amendment 18. For these reasons, we are implementing this 
requirement.

Other Measures

    Comment 15: The Northeast Hook Fishermen's Association wrote in 
support of the Handgear A management measures.
    Response: We agree that these measures will provide additional 
operating flexibility for Handgear A vessels and have approved these 
measures. The Council should continue to consider management measures 
that will provide increased flexibility and additional fishing 
opportunities for handgear vessels.
    Comment 16: Two commenters argued there is a greater need for 
market transparency in the groundfish fishery and urged the Council and 
NMFS to make ACE trade data more transparent. They expressed concern 
that a lack of market and trade information is detrimental to some 
fishermen who may be undervaluing their allocations or unknowingly 
overpaying for quota. It was suggested that trade data could be 
aggregated in a manner so that confidential information is not 
released.
    Response: The Council considered an alternative in Amendment 18 to 
exempt ACE disposition data from confidentiality restrictions. Under 
this alternative, value associated with the movement of ACE within and 
between sectors would have been considered non-confidential and made 
available to the public. Consistent with current data submission 
timeframes, price data on trades made between sectors would have been 
made available during the fishing year. Price data on the movement of 
ACE within sectors would have been made available after the end of the 
fishing year.
    Under the Magnuson-Stevens Act, only data required to be submitted 
to NMFS for a determination in a limited access program can be 
released. The Council did not select this alternative as preferred 
because NMFS determined that ACE price data are not submitted to NMFS 
for a determination in the sector catch-share program, and, therefore, 
may not be released under the Magnuson-Stevens Act data confidentiality 
provisions. Because these data are confidential per the Magnuson-
Stevens Act requirement, neither the Council nor NMFS can release 
pricing behavior and ACE usage at the level of detail requested.
    Comment 17: NAMA and PERC suggested that Amendment 18 should have 
included inshore and offshore management measures for the GOM. These 
groups requested that a short-term task force be established to develop 
inshore and offshore fishery management measures.
    Response: We agree that inshore and offshore management measures 
are worth further consideration. As explained in Amendment 18 and the 
proposed rule for this action, the Council considered, but decided not 
to pursue, development of distinct inshore and offshore fishery 
management measures for vessels fishing in the GOM. The Council spent 
considerable time debating these issues and elected to potentially 
pursue the measures in a future framework adjustment. Requests to 
establish a short-term task force should be brought to the Council and 
its Groundfish Oversight Committee.
    Comment 18: EDF expressed concern that establishing the Redfish 
Exemption Area would increase misreporting and suggested that any 
vessel targeting redfish in an exemption area be required to have 100-
percent monitoring coverage, or be monitored electronically.
    Response: The Council chose not adopt the Redfish Exemption Area in 
Amendment 18. However, groundfish sector vessels have a regulatory 
exemption from minimum mesh size requirements so they can better target 
redfish. A proposed rule soliciting public comment on sector operations 
plans and exemptions for the 2017-2018 fishing years will be published 
in spring 2017. Comments on the Redfish Exemption Area should be made 
through that action.
    Comment 19: Two commenters were critical of how the Council managed 
the public comment process during the development of Amendment 18, 
arguing that the Council often disregards fishermen's concerns. One 
organization wrote in support of the Council process.
    Response: We disagree that the Council mismanaged the public 
comment process. The public had ample opportunities to comment on 
Amendment 18 and its proposed management measures. Amendment 18 was 
developed over several years during dozens of public meetings. All of 
the management measures were developed with public comment. The public 
was able to comment on the scope of the Amendment, review draft and 
final environmental impact statements, critique the Amendment itself, 
and respond to proposed regulations. The Council and NMFS followed 
public comment processes required by the National Environmental Policy 
Act, the Magnuson-Stevens Act, and the Administrative Procedure Act 
(APA).

Changes From the Proposed Rule

    As explained in the preamble of this rule and in Comment 14 above, 
using our authority under section 305(d) of the Magnuson-Stevens Act, 
we added a regulatory measure at 50 CFR 648(a)(1)(i)(N)(4) that 
requires permit transfers for individuals that exceed the accumulation 
limit to be made by an arm's-length transaction. The arm's-length 
requirement was discussed in the preamble of the proposed rule.
    The regulatory text proposed at Sec.  648.4(a)(1)(i)(N) was revised 
to better clarify how the grandfather provision is applied to the 
accumulation limits implemented through this action.

Classification

    Pursuant to section 304(b)(1)(A) of the Magnuson-Stevens Act, the 
NMFS Assistant Administrator has determined that the management 
measures implemented in this final rule are necessary for the 
conservation and management of the NE multispecies fishery and 
consistent with the Magnuson-Stevens Act, and other applicable law.
    The Council prepared, and NMFS filed, a final environmental impact 
statement (FEIS) for this action with the Environmental Protection 
Agency (EPA). The EPA published a notice of availability for the FEIS 
on October 14, 2016 (81 FR 71094).
    In approving the Amendment on March 6, 2017, NMFS issued a record 
of decision (ROD) identifying the selected alternative. A copy of the 
ROD is available from NMFS (see ADDRESSES).
    This final rule has been determined to be not significant for 
purposes of Executive Order (E.O.) 12866.
    This final rule does not contain policies with Federalism or 
``takings'' implications as those terms are defined in E.O. 13132 and 
E.O. 12630, respectively.
    This rule includes two regulatory modifications that will increase 
the operational flexibility for Handgear A vessels. Because these 
regulatory changes relieve regulatory restrictions, these measures are 
not subject to the 30-day delayed effectiveness provision of the APA 
pursuant to 5 U.S.C. 553(d)(1). Currently, Handgear A vessels are 
required to carry a standard fish tote on board. Because enforcement no 
longer use totes for at-sea weight and volume estimates, the 
requirement for vessels to carry a tote is unnecessary and is being 
removed. This action also allows a groundfish sector to request an 
exemption from requiring Handgear A vessels to utilize a vessel 
monitoring system (VMS). Currently, all sector

[[Page 18712]]

vessels are required to use a VMS while fishing. Handgear vessels have 
argued that this requirement is cost prohibitive. If an exemption were 
requested and approved, Handgear A vessels enrolled in a sector with 
the exemption would no longer be required to purchase a VMS. This 
measure increases the feasibility for a Handgear A vessel to enroll in 
a sector by reducing its operating expenses.

Final Regulatory Flexibility Analysis

    Section 604 of the Regulatory Flexibility Act (RFA) requires an 
agency to prepare a final regulatory flexibility analysis (FRFA) after 
being required by that section or any other law to publish a general 
notice of proposed rulemaking and when an agency promulgates a final 
rule under section 553 of Title 5 of the U.S. Code. The FRFA describes 
the economic impact of this action on small entities. The FRFA includes 
a summary of significant issues raised by public comments, the analyses 
contained in Amendment 18 and its accompanying FEIS/Regulatory Impact 
Review/Initial Regulatory Flexibility Analysis (IRFA), the IRFA summary 
in the proposed rule, as well as the summary provided below. A 
statement of the necessity for and objectives of this action are 
contained in Amendment 18 and in the preamble to this final rule, and 
is not repeated here. A copy of this analysis is available from the 
Council (see ADDRESSES).

A Summary of the Significant Issues Raised by the Public in Response to 
the IRFA, a Summary of the Agency's Assessment of Such Issues, and a 
Statement of Any Changes Made in the Final Rule as a Result of Such 
Comments

    Our responses to all of the comments received on the proposed rule, 
including those that raised significant issues with the proposed 
action, or commented on the economic analyses summarized in the IRFA 
and below, can be found in the Comments and Responses section of this 
rule. Comment 2 suggested that additional analyses detailing how permit 
caps will affect the future viability of the fleet was needed. Comment 
5 explained that several commenters were critical of an independent 
report and analyses utilized by the Council to develop Amendment 18 
accumulation limits. Comment 6 summarized that most opponents to the 
Amendment contend that the accumulation limits will promote additional 
consolidation and reduced fleet diversity. Detailed responses are 
provided to each of these specific comments and are not repeated here. 
There were no other comments directly related to the IRFA; the Chief 
Counsel for the Office of Advocacy of the Small Business Administration 
(SBA) did not file any comments. No changes to the proposed rule 
measures were necessary as a result of these public comments.

Description and Estimate of the Number of Small Entities to Which This 
Rule Will Apply

    On December 29, 2015, NMFS issued a final rule establishing a small 
business size standard of $11 million in annual gross receipts for all 
businesses primarily engaged in the commercial fishing industry (NAICS 
11411) for Regulatory Flexibility Act (RFA) compliance purposes only 
(80 FR 81194, December 29, 2015). The $11 million standard became 
effective on July 1, 2016, and is to be used in place of the SBA's 
current standards of $20.5 million, $5.5 million, and $7.5 million for 
the finfish (NAICS 114111), shellfish (NAICS 114112), and other marine 
fishing (NAICS 114119) sectors, respectively, of the U.S. commercial 
fishing industry in all NMFS rules subject to the RFA after July 1, 
2016.
    Pursuant to the RFA, and prior to July 1, 2016, an IRFA was 
developed for this regulatory action using SBA's size standards. NMFS 
has reviewed the analyses prepared for this regulatory action in light 
of the new size standard. Under the previously-used SBA's size 
standards, all of the commercial finfish and other marine fishing 
businesses were considered small, while 12 of the 237 shellfish 
businesses were determined to be large (Tables 1 and 2).
    The new standard could result in a few more commercial shellfish 
businesses being considered small. However, taking the size standard 
change into consideration, NMFS has identified no additional 
significant alternatives that accomplish statutory objectives and 
minimize economic impacts of the proposed rule on small entities. 
Further, the new size standard does not affect the decision to prepare 
a FRFA as opposed to a certification for this regulatory action.
    Analyses in Tables 2 and 3 below reveal that no groundfish-
dependent entities exceeded the previous SBA standard of $5.5 million 
in gross sales, with the mean gross sale per entity being less than $2 
million. It is therefore unlikely that any finfish, or more 
specifically, groundfish-dependent vessels, would be considered a large 
business under the new NMFS size standard.
    Amendment 18 regulates commercial fish harvesting entities engaged 
in the NE multispecies limited access fishery. A description of the 
specific entities that are likely to be impacted is included below for 
informational purposes, followed by a discussion of those regulated 
entities likely to be impacted by the proposed regulations. For the 
purposes of the RFA analysis, the ownership entities, not the 
individual vessels, are considered the regulated entities.
    Individually-permitted vessels may hold permits for several 
fisheries, harvesting species of fish that are regulated by several 
different FMPs, even beyond those affected by Amendment 18. 
Furthermore, multiple permitted vessels and/or permits may be owned by 
entities affiliated by stock ownership, common management, identity of 
interest, contractual relationships, or economic dependency. For this 
analysis, ownership entities are defined by those entities with common 
ownership personnel as listed on permit application documentation. Only 
permits with identical ownership personnel are categorized as an 
ownership entity. For example, if five permits have the same seven 
personnel listed as co-owners on their application paperwork, those 
seven personnel form one ownership entity, covering those five permits. 
If one or several of the seven owners also own additional vessels, with 
sub-sets of the original seven personnel or with new co-owners, those 
ownership arrangements are deemed to be separate ownership entities for 
the purpose of this analysis.
    Ownership entities are identified on June 1 of each year based on 
the list of all permit numbers for the most recent complete calendar 
year that have applied for any type of NE Federal fishing permit. At 
the time of the Amendment 18 analyses, the ownership data set was based 
on calendar year 2014 permits and contained gross sales associated with 
those permits for calendar years 2012 through 2014.
    On June 1, 2015, there were 661 commercial business entities 
potentially regulated by this action. Entities permitted to operate in 
the NE multispecies limited access fishery are described in Tables 1 
and 2. As of June 1, 2015, there were 1,147 individual limited access 
permits. The 34 for-hire businesses included here are entities 
affiliated with limited access commercial groundfish permits, but 
derive greater than 50 percent of their gross sales from party/charter 
operations. All are small businesses (average gross revenues from 2012-
14 are less than $7.5 million). The remaining 75 entities had no 
revenue and are classified as small.

[[Page 18713]]

    These totals may mask some diversity among the entities. Many, if 
not most, of these ownership entities maintain diversified harvest 
portfolios, obtaining gross sales from many fisheries and are not 
dependent on any one. However, not all are equally diversified. Those 
that depend most heavily on sales from harvesting species affected 
directly by Amendment 18 are most likely to be affected. By defining 
dependence as deriving greater than 50 percent of gross sales from 
sales of regulated species associated with a specific fishery, those 
ownership groups most likely to be affected by the proposed regulations 
can be identified. Using this threshold, 61 entities are groundfish-
dependent; all of which are small under both the SBA and NMFS size 
standards (Table 3).

               Table 1--Entities Regulated by Amendment 18
------------------------------------------------------------------------
                                                                 Number
                        Type                           Number     small
------------------------------------------------------------------------
Primarily finfish...................................       315       315
Primarily shellfish.................................       237       225
Primarily for-hire..................................        34        34
No Revenue..........................................        75        75
                                                     -------------------
  Total.............................................       661       649
------------------------------------------------------------------------


                                                Table 2--Description of Regulated Entities by Gross Sales
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                            Mean  gross    Median  gross   Mean permits     Max permits
                     Sales category                           Number       Number  small       sales           sales        per entity      per entity
--------------------------------------------------------------------------------------------------------------------------------------------------------
<$50K...................................................             186             186         $10,597          $1,954             1.3              30
50-100K.................................................              71              71          76,466          78,736             1.3               3
100-500K................................................             225             225         244,672         219,731             1.3               4
500K-1mil...............................................              91              91         734,423         720,668             1.7               7
1-5.5mil................................................              74              73       1,899,461       1,498,138             2.4              11
5.5mil+.................................................              14               3      11,900,790       7,383,522            12.4              28
--------------------------------------------------------------------------------------------------------------------------------------------------------


                             Table 3--Impacted Groundfish-Dependent Regulated Commercial Groundfish Entities by Gross Sales
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                              Average
                                                                              fishing      Maximum       Median                    Median        Mean
                                                     Entities     Large       permits      fishing       gross     Mean  gross   groundfish   groundfish
                       Sales                         (number)   businesses   owned  per    permits     sales  per   sales  per   sales  per   sales  per
                                                                 (number)      entity     per entity     entity       entity       entity       entity
                                                                              (number)     (number)
--------------------------------------------------------------------------------------------------------------------------------------------------------
<$50K.............................................          6            0          1.0            1      $10,116      $20,316       $8,831      $16,476
50-100K...........................................          7            0          1.1            2       72,052       67,390       56,221       49,341
100-500K..........................................         22            0          1.6            4      226,938      240,833      116,018      172,331
500K-1mil.........................................         13            0          1.2            2      698,226      718,231      398,548      491,838
1-5.5mil..........................................         13            0          2.2            4    1,553,597    1,854,052    1,292,445    1,403,896
                                                   -----------------------------------------------------------------------------------------------------
    Total ownership entities......................         61            0  ...........  ...........  ...........  ...........  ...........  ...........
--------------------------------------------------------------------------------------------------------------------------------------------------------

Description of Projected Reporting, Record Keeping, and Other 
Compliance Requirements

    This final rule contains a collection-of-information requirement 
subject to the Paperwork Reduction Act (PRA) and which is under review 
by OMB under control number 0648-0202. This revision requires any 
entity that has exceeded the PSC limit to render one or more permits 
``unusable'' so that the entity would be operating within the 
allocation limit. If an entity exceeds the PSC limit, the entity would 
be required to complete a ``Permit Shelving Form'' and render one or 
more permits unusable.
    Public reporting burden for the permit shelving form is estimated 
to average 30 minutes per response, including the time for reviewing 
instructions, searching existing data sources, gathering and 
maintaining the data needed, and completing and reviewing the 
collection of information. If two entities had to complete a ``Permit 
Shelving Form,'' the burden estimate would be 1 hr and cost $1. 
Currently, no entity exceeds the PSC allocation limit; the most PSC any 
entity holds is approximately 140 PSC, and the limit is 232.5 PSC. As a 
result, it is unlikely that any entity would reach this threshold, or 
that this action would directly affect fishing operations.
    Send comments regarding these burden estimates or any other aspect 
of this data collection, including suggestions for reducing the burden, 
to NMFS (see ADDRESSES) and by email to [email protected], or 
fax to 202-395-7285.
    Notwithstanding any other provision of the law, no person is 
required to respond to, and no person shall be subject to penalty for 
failure to comply with, a collection of information subject to the 
requirements of the PRA, unless that collection of information displays 
a currently valid OMB control number.

Description of the Steps the Agency Has Taken To Minimize Significant 
Economic Impact on Small Entities Consistent With the Stated Objectives 
of Applicable Statutes

    This FRFA is intended to analyze how small entities would be 
affected by the Amendment 18 management measures. This action is 
expected to have minimal, if any, impact on regulated small entities. 
The vast majority (649 out of 661) of potentially regulated entities 
are classified as small businesses by SBA and NMFS business size 
standards.
    In general, the small entities regulated by this action will be 
unaffected. The majority of limited access groundfish permit holders 
possess permits and PSC in far smaller quantities than the proposed 
accumulation limits. However, individuals who comprise a part of, or 
the entirety of, these small entities could be restricted in the number 
of permits or the amount of PSC shares they wish to accumulate in the 
future, which could affect potential revenue.

[[Page 18714]]

    The PSC limit alternative that was selected for this action 
provided the most flexibility of all the alternatives proposed. Vessel 
permit holders can continue to accumulate permits in a manner that 
allows them to maximize fishing opportunities within their portfolio.
    Several stock-specific PSC limit alternatives considered in the 
Amendment were not selected because the Council determined the 
alternatives would have been too restrictive. For example, limiting an 
ownership entity to an accumulation limit equivalent to the PSC held as 
of the control date could have forced divestiture in the fishery and 
would have prevented ownership entities from growing. Similarly, 
establishing a specific accumulation limit for a specific groundfish 
stock could have reduced opportunities for entities to expand into 
other fisheries and restrict operational flexibility. Additional 
information on these alternatives is available in section 4.1 of the 
Amendment.
    Handgear A permit holders will be largely unaffected by the limited 
access handgear measures. As explained in the preamble, the Handgear A 
management measures approved in this action actually remove regulatory 
restrictions, increasing operational flexibility and fishing 
opportunities.
    Several management measures and alternatives were considered but 
not selected by the Council. Other alternatives may be considered in a 
future framework, as explained in the preamble above. Additional 
information on these alternatives and justifications for the Council's 
decision are explained in section 4 of the Amendment.

Small Entities Compliance Guide

    Section 212 of the Small Business Regulatory Enforcement Fairness 
Act of 1996 states that, for each rule or group of related rules for 
which an agency is required to prepare a FRFA, the agency shall publish 
one or more guides to assist small entities in complying with the rule, 
and shall designate such publications as ``small entity compliance 
guides.'' The agency shall explain the actions a small entity is 
required to take to comply with a rule or group of rules. As part of 
this rulemaking process, a letter to permit holders that also serves as 
small entity compliance guide (the guide) was prepared. Copies of this 
final rule are available from the Greater Atlantic Regional Fisheries 
Office, and the guide, (i.e., bulletin), will be sent to all holders of 
permits for the NE multispecies fishery. The guide and this final rule 
will be available upon request.

List of Subjects in 50 CFR Part 648

    Fisheries, Fishing, Reporting and recordkeeping requirements.

    Dated: April 17, 2017.
Alan D. Risenhoover,
Acting Deputy Assistant Administrator for Regulatory Programs, National 
Marine Fisheries Service.

    For the reasons stated in the preamble, NMFS amends 50 CFR part 648 
as follows:

PART 648--FISHERIES OF THE NORTHEASTERN UNITED STATES

0
1. The authority citation for part 648 continues to read as follows:

    Authority: 16 U.S.C. 1801 et seq.


0
2. In Sec.  648.2, add a definition for ``Ownership interest'' in 
alphabetical order to read as follows:


Sec.  648.2  Definitions.

* * * * *
    Ownership interest, in the NE multispecies fishery, includes, but 
is not limited to holding share(s) or stock in any corporation, any 
partnership interest, or membership in a limited liability company, or 
personal ownership, in whole or in part, of a vessel issued a limited 
access NE multispecies permit or confirmation of permit history (CPH), 
including any ownership interest in any entity or its subsidiaries or 
partners, no matter how far removed.
* * * * *

0
3. In Sec.  648.4, add paragraph (a)(1)(i)(N) and revise paragraph 
(c)(2)(i) to read as follows:


Sec.  648.4  Vessel permits.

    (a) * * *
    (1) * * *
    (i) * * *
    (N) Accumulation limits--(1) 5-percent permit/CPH restriction. Any 
person with an ownership interest in the NE multispecies fishery is not 
eligible to be issued a limited access NE multispecies permit or CPH 
for a vessel if the issuance results in the person having an ownership 
interest in excess of 5 percent of all limited access NE multispecies 
permits and CPH that are issued as of the date the permit/CPH 
application is received by the NMFS.
    (2) PSC limit. Any person with an ownership interest in the NE 
multispecies fishery is not eligible to be issued a limited access NE 
multispecies permit or CPH for a vessel that results in that person's 
average potential sector contribution (PSC) exceeding a share of 15.5 
for all the allocated stocks in aggregate, except as provided in 
paragraph (a)(1)(i)(N)(4) of this section.
    (3) Grandfather provision. Paragraphs (a)(1)(i)(N)(1) and (2) of 
this section do not apply to a limited access NE multispecies permit or 
CPH if held on April 7, 2011. Any additional limited access NE 
multispecies permit or CPH that a person acquires after April 7, 2011, 
are subject to the accumulation limits specified within this section.
    (4) Any person can be issued one limited access NE multispecies 
permit or CPH that results in that person's total PSC exceeding the PSC 
limit as described in this section. That person must identify to NMFS 
on or before March 31 of each year, vessel permits or CPH that will be 
rendered unusable the upcoming fishing year so that the person's total 
PSC for the upcoming fishing year is an amount equal to or below the 
PSC limit. Beginning on May 1, the permits or CPH rendered unusable may 
not be fished, leased, or enrolled in a sector by that person for the 
remainder of the fishing year, but may be transferred by that person. 
The transfer of a permit or CPH rendered unusable shall be made through 
an arm's-length transaction (for example, to an independent and 
unrelated entity that does not share an ownership interest with that 
person).
* * * * *
    (c) * * *
    (2) Vessel permit information requirements. (i) An application for 
a permit issued under this section, in addition to the information 
specified in paragraph (c)(1) of this section, also must contain at 
least the following information, and any other information required by 
the Regional Administrator: Vessel name, owner name or name of the 
owner's authorized representative, mailing address, and telephone 
number; USCG documentation number and a copy of the vessel's current 
USCG documentation or, for a vessel not required to be documented under 
title 46 U.S.C., the vessel's state registration number and a copy of 
the current state registration; a copy of the vessel's current party/
charter boat license (if applicable); home port and principal port of 
landing, length overall, GRT, NT, engine horsepower, year the vessel 
was built, type of construction, type of propulsion, approximate fish 
hold capacity, type of fishing gear used by the vessel, number of crew, 
number of party or charter passengers licensed to be carried (if 
applicable), permit category; if the owner is a corporation, a copy of 
the current Certificate of Incorporation or other corporate papers 
showing the date of incorporation and the names of the current officers 
of the corporation, and the names and

[[Page 18715]]

addresses of all persons holding any ownership interest in a NE 
multispecies permit or CPH or shareholders owning 25 percent or more of 
the corporation's shares for other fishery permits; if the owner is a 
partnership, a copy of the current Partnership Agreement and the names 
and addresses of all partners; permit number of any current or, if 
expired, previous Federal fishery permit issued to the vessel.
* * * * *

0
4. In Sec.  648.14:
0
a. Add paragraphs (k)(2)(v) and (vi);
0
b. Revise paragraph (k)(9)(i); and
0
c. Add paragraph (k)(9)(ii)(N).
    The additions and revisions read as follows:


Sec.  648.14  Prohibitions.

* * * * *
    (k) * * *
    (2) * * *
    (v) Fish for, possess, land fish, enroll in a sector, or lease a 
permit or confirmation of permit history (CPH) as a lessor or lessee, 
with a permit that has been rendered unusable as specified in Sec.  
648.4(a)(1)(i)(N).
    (vi) Acquire a limited access NE multispecies permit that would 
result in a permit holder exceeding any of the ownership accumulation 
limits specified in Sec.  648.4(a)(1)(i)(N), unless authorized under 
Sec.  648.4(a)(1)(i)(N).
* * * * *
    (9) * * *
    (i) If operating under the provisions of a limited access NE 
multispecies Handgear A permit south of the GOM Regulated Mesh Area, as 
defined at Sec.  648.80(a)(1), fail to declare the vessel operator's 
intent to fish in this area via VMS or fail to obtain or retain on 
board a letter of authorization from the Regional Administrator, as 
required by Sec.  648.82(b)(6)(iii).
* * * * *
    (ii) * * *
    (N) Act as a lessor or lessee of NE multispecies DAS to or from a 
limited access permit that has been rendered unusable as specified in 
Sec.  648.4(a)(1)(i)(N).
* * * * *

0
5. In Sec.  648.82, revise paragraphs (b)(6) and (g) to read as 
follows:


Sec.  648.82  Effort control program for NE multispecies limited access 
vessels.

* * * * *
    (b) * * *
    (6) Handgear A category. A vessel qualified and electing to fish 
under the Handgear A category, as described in Sec.  648.4(a)(1)(i)(A), 
may retain, per trip, up to 300 lb (135 kg) of cod, one Atlantic 
halibut, and the daily possession limit for other regulated species and 
ocean pout, as specified under Sec.  648.86. If either the GOM or GB 
cod trip limit applicable to a vessel fishing under a NE multispecies 
DAS permit, as specified in Sec.  648.86(b)(1) and (2), respectively, 
is reduced below 300 lb (135 kg) per DAS by NMFS, the cod trip limit 
specified in this paragraph (b)(6) shall be adjusted to be the same as 
the applicable cod trip limit specified for NE multispecies DAS 
permits. For example, if the GOM cod trip limit for NE multispecies DAS 
vessels was reduced to 250 lb (113.4 kg) per DAS, then the cod trip 
limit for a vessel issued a Handgear A category permit that is fishing 
in the GOM Regulated Mesh Area would also be reduced to 250 lb (113.4 
kg). Qualified vessels electing to fish under the Handgear A category 
are subject to the following restrictions:
    (i) The vessel must not use or possess on board gear other than 
handgear while in possession of, fishing for, or landing NE 
multispecies;
    (ii) Tub-trawls must be hand-hauled only, with a maximum of 250 
hooks; and
    (iii) Declaration. For any such vessel that is not required to use 
VMS pursuant to Sec.  648.10(b)(4), to fish for GB cod south of the GOM 
Regulated Mesh Area, as defined at Sec.  648.80(a)(1), a vessel owner 
or operator must obtain, and retain on board, a letter of authorization 
from the Regional Administrator stating an intent to fish south of the 
GOM Regulated Mesh Area and may not fish in any other area for a 
minimum of seven consecutive days from the effective date of the letter 
of authorization. For any such vessel that is required, or elects, to 
use VMS pursuant to Sec.  648.10(b)(4), to fish for GB cod south of the 
GOM Regulated Mesh Area, as defined at Sec.  648.80(a)(1), a vessel 
owner or operator must declare an intent to fish south of the GOM 
Regulated Mesh Area on each trip through the VMS prior to leaving port, 
in accordance with instructions provided by the Regional Administrator. 
Such vessels may transit the GOM Regulated Mesh Area, as defined at 
Sec.  648.80(a)(1), provided that their gear is stowed and not 
available for immediate use as defined in Sec.  648.2.
* * * * *
    (g) Spawning season restrictions. A vessel issued a valid Small 
Vessel category permit specified in paragraph (b)(5) of this section, 
or a vessel issued an open access Handgear B permit, as specified in 
Sec.  648.88(a), may not fish for, possess, or land regulated species 
or ocean pout from March 1 through March 20 of each year. A common pool 
vessel must declare out and be out of the NE multispecies DAS program, 
and a sector must declare that the vessel will not fish with gear 
capable of catching NE multispecies (i.e., gear that is not defined as 
exempted gear under this part), for a 20-day period between March 1 and 
May 31 of each calendar year, using the notification requirements 
specified in Sec.  648.10. A vessel fishing under a Day gillnet 
category designation is prohibited from fishing with gillnet gear 
capable of catching NE multispecies during its declared 20-day spawning 
block, unless the vessel is fishing in an exempted fishery, as 
described in Sec.  648.80. If a vessel owner has not declared and been 
out of the fishery for a 20-day period between March 1 and May 31 of 
each calendar year on or before May 12 of each year, the vessel is 
prohibited from fishing for, possessing or landing any regulated 
species, ocean pout, or non-exempt species during the period from May 
12 through May 31.
* * * * *

0
6. In Sec.  648.87, revise paragraph (c)(2)(i) introductory text to 
read as follows:


Sec.  648.87  Sector allocation.

* * * * *
    (c) * * *
    (2) * * *
    (i) Regulations that may not be exempted for sector participants. 
The Regional Administrator may not exempt participants in a sector from 
the following Federal fishing regulations: Specific times and areas 
within the NE multispecies year-round closure areas; permitting 
restrictions (e.g., vessel upgrades, etc.); gear restrictions designed 
to minimize habitat impacts (e.g., roller gear restrictions, etc.); 
reporting requirements; and AMs specified in Sec.  648.90(a)(5)(i)(D). 
For the purposes of this paragraph (c)(2)(i), the DAS reporting 
requirements specified in Sec.  648.82, the SAP-specific reporting 
requirements specified in Sec.  648.85, VMS requirements for Handgear A 
category permitted vessels as specified in Sec.  648.10, and the 
reporting requirements associated with a dockside monitoring program 
are not considered reporting requirements, and the Regional 
Administrator may exempt sector participants from these requirements as 
part of the approval of yearly operations plans. For the purpose of 
this paragraph (c)(2)(i), the Regional Administrator may not grant 
sector participants exemptions from the NE multispecies year-round 
closures areas defined as Essential Fish Habitat Closure Areas as 
defined in

[[Page 18716]]

Sec.  648.81(h); the Fippennies Ledge Area as defined in paragraph 
(c)(2)(i)(A) of this section; Closed Area I and Closed Area II, as 
defined in Sec.  648.81(a) and (b), respectively, during the period 
February 16 through April 30; and the Western GOM Closure Area, as 
defined at Sec.  648.81(e), where it overlaps with GOM Cod Protection 
Closures I through III, as defined in Sec.  648.81(f)(4). This list may 
be modified through a framework adjustment, as specified in Sec.  
648.90.
* * * * *

0
7. In Sec.  648.90, revise paragraphs (a)(2)(i) through (iii) to read 
as follows:


Sec.  648.90  NE multispecies assessment, framework procedures and 
specifications, and flexible area action system.

* * * * *
    (a) * * *
    (2) Biennial review. (i) At a minimum, the NE multispecies PDT 
shall meet on or before September 30 every other year to perform a 
review of the fishery, using the most current scientific information 
available provided primarily from the NEFSC. Data provided by states, 
ASMFC, the USCG, and other sources may also be considered by the PDT. 
The PDT shall review available data pertaining to: Catch and landings, 
discards, DAS allocations, DAS use, sector operations, and other 
measures of fishing effort; survey results; stock status; current 
estimates of fishing mortality and overfishing levels; social and 
economic impacts; enforcement issues; and any other relevant 
information. The PDT may also review the performance of different user 
groups or fleet sectors.
    (ii) Based on this review, the PDT shall recommend ACLs for the 
upcoming fishing year(s), as described in paragraph (a)(4) of this 
section, and develop options for consideration by the Council, if 
necessary, on any changes, adjustments, or additions to DAS 
allocations, closed areas, or other measures necessary to rebuild 
overfished stocks and achieve the FMP goals and objectives, which may 
include a preferred option. The range of options developed by the PDT 
may include any of the management measures in the FMP, including, but 
not limited to: ACLs, which must be based on the projected fishing 
mortality levels required to meet the goals and objectives outlined in 
the FMP for the 12 regulated species and ocean pout if able to be 
determined; identifying and distributing ACLs and other sub-components 
of the ACLs among various segments of the fishery; AMs; DAS changes; 
possession limits; gear restrictions; closed areas; permitting 
restrictions; minimum fish sizes; recreational fishing measures; 
describing and identifying EFH; fishing gear management measures to 
protect EFH; designating habitat areas of particular concern within 
EFH; and changes to the SBRM, including the CV-based performance 
standard, the means by which discard data are collected/obtained, 
fishery stratification, the process for prioritizing observer sea-day 
allocations, reports, and/or industry-funded observers or observer set 
aside programs. The PDT must demonstrate through analyses and 
documentation that the options it develops are expected to meet the FMP 
goals and objectives.
    (iii) In addition, the PDT may develop ranges of options for any of 
the management measures in the FMP and the following conditions that 
may be adjusted through a framework adjustment to achieve FMP goals and 
objectives including, but not limited to: Revisions to DAS measures, 
including DAS allocations (such as the distribution of DAS among the 
four categories of DAS), future uses for Category C DAS, and DAS 
baselines, adjustments for steaming time, etc.; accumulation limits due 
to a permit buyout or buyback; modifications to capacity measures, such 
as changes to the DAS transfer or DAS leasing measures; calculation of 
area-specific ACLs (including sub-ACLs for specific stocks and areas 
(e.g., Gulf of Maine cod)), area management boundaries, and adoption of 
area-specific management measures including the delineation of inshore/
offshore fishing practices, gear restrictions, declaration time 
periods; sector allocation requirements and specifications, including 
the establishment of a new sector, the disapproval of an existing 
sector, the allowable percent of ACL available to a sector through a 
sector allocation, an optional sub-ACL specific to Handgear A permitted 
vessels, and the calculation of PSCs; sector administration provisions, 
including at-sea and dockside monitoring measures; sector reporting 
requirements; state-operated permit bank administrative provisions; 
measures to implement the U.S./Canada Resource Sharing Understanding, 
including any specified TACs (hard or target); changes to 
administrative measures; additional uses for Regular B DAS; reporting 
requirements; declaration requirements pertaining to when and what time 
period a vessel must declare into or out of a fishery management area; 
the GOM Inshore Conservation and Management Stewardship Plan; 
adjustments to the Handgear A or B permits; gear requirements to 
improve selectivity, reduce bycatch, and/or reduce impacts of the 
fishery on EFH; SAP modifications; revisions to the ABC control rule 
and status determination criteria, including, but not limited to, 
changes in the target fishing mortality rates, minimum biomass 
thresholds, numerical estimates of parameter values, and the use of a 
proxy for biomass may be made either through a biennial adjustment or 
framework adjustment; changes to the SBRM, including the CV-based 
performance standard, the means by which discard data are collected/
obtained, fishery stratification, the process for prioritizing observer 
sea-day allocations, reports, and/or industry-funded observers or 
observer set aside programs; and any other measures currently included 
in the FMP.
* * * * *
[FR Doc. 2017-08035 Filed 4-20-17; 8:45 am]
BILLING CODE 3510-22-P



                                             18706                Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations

                                             DEPARTMENT OF COMMERCE                                  Regional Fisheries Office (address                    to influence the market to its advantage
                                                                                                     above) or the Office of Management and                (i.e., exert market power). Based on this
                                             National Oceanic and Atmospheric                        Budget by email OIRA_Submission@                      analysis, it was determined that no
                                             Administration                                          omb.eop.gov, or fax to (202) 395–7285.                entity currently holds excessive shares.
                                                                                                     FOR FURTHER INFORMATION CONTACT:                      Also, analysis showed that the
                                             50 CFR Part 648                                         William Whitmore, Fishery Policy                      accumulation limits and the associated
                                             [Docket No. 150630567–7360–02]                          Analyst, phone: 978–281–9182; email:                  measures established in this action
                                                                                                     William.Whitmore@noaa.gov.                            should sufficiently prevent an entity
                                             RIN 0648–BF26                                                                                                 from acquiring an excessive share of
                                                                                                     SUPPLEMENTARY INFORMATION:
                                                                                                                                                           fishing permits and exerting market
                                             Magnuson-Stevens Fishery                                Background                                            power over the fishery. The limits were
                                             Conservation and Management Act                                                                               also designed, though, to avoid placing
                                                                                                       This action approves and implements
                                             Provisions; Fisheries of the                                                                                  adverse impacts on fishing entities that
                                                                                                     the management measures in
                                             Northeastern United States; Northeast                                                                         would reduce operational flexibility and
                                                                                                     Amendment 18 to the Northeast (NE)
                                             Groundfish Fishery; Amendment 18                                                                              market efficiency.
                                                                                                     Multispecies Fishery Management Plan
                                             AGENCY:  National Marine Fisheries                      (FMP). The measures for this action                   Limiting the Number of Permits
                                             Service (NMFS), National Oceanic and                    were explained in a notice of
                                                                                                     availability published on December 6,                   This action limits an entity to holding
                                             Atmospheric Administration (NOAA),
                                                                                                     2016 (81 FR 87862), and a proposed rule               no more than 5 percent of all limited
                                             Commerce.
                                                                                                     that published on December 20, 2016                   access groundfish permits. An entity is
                                             ACTION: Final rule.                                                                                           prohibited from acquiring a permit that
                                                                                                     (81 FR 92761). NMFS approved
                                             SUMMARY:    This final rule implements                  Amendment 18 on March 6, 2017.                        would result in it exceeding the 5-
                                             Amendment 18 to the Northeast                                                                                 percent permit cap. As of February 21,
                                             Multispecies Fishery Management Plan.                   Summary of Approved Measures                          2017, there were 1,335 limited access
                                             The New England Fishery Management                      1. Accumulation Limits                                permits in the fishery; a 5-percent cap
                                             Council developed Amendment 18 to                                                                             would limit an entity to 67 permits. The
                                                                                                     Accumulation Limit Guidelines                         most permits held by any entity was 50.
                                             promote fleet diversity and in the
                                             groundfish fishery, prevent the                            Amendment 18 includes several                      Based on this information, this permit
                                             acquisition of excessive shares of                      general measures detailing how permit                 cap is unlikely to immediately restrict
                                             permits, and enhance sector                             accumulation limits are applied.                      any entity.
                                             management. This action limits the                         • Accumulation limits apply to                     Limiting the Potential Sector
                                             number of permits and annual                            individuals, permit banks, and other                  Contribution
                                             groundfish allocation that an entity can                entities, including groundfish sectors, at
                                                                                                     the individual permit and potential                      This action also limits an entity to
                                             hold. This action also removes several                                                                        holding no more than an aggregated
                                             effort restrictions to increase operational             sector contribution (PSC) level.
                                                                                                        • Accumulation limits do not apply                 average of all allocated groundfish
                                             flexibility for fishermen on limited                                                                          stocks to 15.5 PSC. With 15 groundfish
                                             access handgear vessels.                                to the amount of annual groundfish
                                                                                                     allocated to a sector, technically referred           stocks currently allocated to the fishery,
                                             DATES: This rule is effective May 22,                                                                         the total PSC across all stocks used by
                                                                                                     to as a sector’s annual catch entitlement,
                                             2017, except for the amendments to                                                                            an individual or an entity can be no
                                                                                                     or ACE.
                                             §§ 648.82(b) and 648.87(c), which will                     • Accumulation limits may be                       more than 232.5 (an average PSC of 15.5
                                             be effective on May 1, 2017.                            modified in a future framework due to                 percent per stock multiplied by 15
                                             ADDRESSES: Copies of Amendment 18,                      changes from a Federal permit buyback                 stocks). This allows an entity to hold
                                             including the Environmental Impact                      or buyout.                                            PSC for a single stock in excess of 15.5
                                             Statement, the Regulatory Impact                           • If an entity held permits or PSC on              percent, so long as the total holdings
                                             Review, and the Initial Regulatory                      the control date (April 7, 2011) that                 used do not exceed 232.5. If the number
                                             Flexibility Analysis prepared in support                exceed the accumulation limits, it is                 of allocated groundfish stocks increases
                                             of the proposed rule are available from                 exempt from the accumulation limit, but               or decreases in the future, then this
                                             Thomas A. Nies, Executive Director,                     is restricted to holding no more permits              aggregate number (232.5) would
                                             New England Fishery Management                          or PSC than it held as of the control                 increase or decrease by 15.5 per stock.
                                             Council, 50 Water Street, Mill 2,                       date. The grandfathered holdings may                  As of February 21, 2017, no entity holds
                                             Newburyport, MA 01950. The                              be fished or leased by the entity but are             more than 141 PSC. Based on this
                                             supporting documents are also                           not transferrable. Current analyses show              information, the PSC limit is unlikely to
                                             accessible via the Internet at: http://                 that no entity exceeds the control date               immediately restrict any entity.
                                             www.nefmc.org/management-plans/                         accumulation limits.                                     Compared to other PSC limits that the
                                             northeast-multispecies or http://                          • There is no calculation of partial               Council considered, this option is the
                                             www.greateratlantic.fisheries.noaa.gov/                 ownership when considering                            least restrictive because there is no
                                             sustainable/species/multispecies.                       accumulation limits. Any entity that is               stock-specific limit. Further, an entity
                                                A copy of the record of decision for                 a partial owner is assumed to have full-              would be permitted to purchase a vessel
                                             the Final Environmental Impact                          ownership when calculating permit and                 permit during a fishing year that would
                                             Statement can be obtained from the                      PSC accumulation limits.                              result in exceeding the aggregate 232.5
                                             NOAA Fisheries Greater Atlantic                                                                               PSC limit. In this case, the entity must
                                             Regional Fisheries Office, 55 Great                     Excessive Shares                                      render at least one permit unusable (or
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                                             Republic Drive, Gloucester, MA 01930.                      This action imposes accumulation                   ‘‘shelve’’ the permit) so that the entity
                                                Written comments regarding the                       limits to prevent the acquisition of                  is not operating above the PSC limit the
                                             burden-hour estimates or other aspects                  excessive shares. For Amendment 18                    following fishing year. Any permit that
                                             of the collection-of-information                        analyses purposes, an excessive share of              is shelved may not be enrolled in a
                                             requirements contained in this final rule               fishing privileges was interpreted as a               sector, fished, or leased, but could be
                                             may be submitted to the Greater Atlantic                share of PSC that would allow an entity               sold. An entity is prohibited from


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                                                                  Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations                                        18707

                                             purchasing additional permits once it                   interest in or control over the                       sectors, which account for most of the
                                             exceeds the PSC limit. This is intended                 transferred permit and its PSC.                       groundfish fishing effort and are already
                                             to provide operational flexibility for                     We view this restriction to be                     exempt from the 20-day spawning
                                             permit holders while still restricting                  consistent with the Council’s intent and              block. This measure is not anticipated to
                                             them to the overall accumulation limit.                 the goals and objectives for the                      have any substantial biological
                                             This measure balances restrictions that                 Amendment. This measure also                          consequences and will provide
                                             are expected to sufficiently prevent                    improves the enforceability of the PSC                additional fishing opportunities for
                                             excessive shares while avoiding adverse                 accumulation limit. As a result, using                Handgear A vessels.
                                             effects on market efficiency and                        our authority under section 305(d) of                    Handgear A vessels are no longer
                                             flexibility.                                            the Magnuson-Stevens Fishery                          required to carry a standard fish tote on
                                                Additional information on these                      Conservation and Management Act                       board. This requirement was initially
                                             accumulation limits is available in the                 (Magnuson-Stevens Act), we are adding                 implemented to aid in the sorting and
                                             Amendment 18 environmental impact                       regulations to require that a permit                  weighing of fish by both fishermen and
                                             statement and the proposed rule.                        transfer for individuals that have                    enforcement personnel. However,
                                                                                                     exceeded the accumulation limit to be                 enforcement no longer uses totes for at-
                                             Effect of Combined Accumulation                         by an arm’s-length transaction.                       sea weight and volume estimates, so the
                                             Limits                                                                                                        requirement for vessels to carry a tote is
                                                                                                     Future Changes to Accumulation Limits                 no longer necessary.
                                                The combination of the PSC limit and
                                                                                                        Accumulation limits can be modified                   Lastly, this action allows a sector to
                                             5 percent permit cap raises the difficulty
                                                                                                     through a future framework adjustment                 request an exemption from the
                                             and cost of acquiring enough permits
                                                                                                     if a vessel/permit buyback or buyout                  requirement for Handgear A vessels to
                                             and PSC for any one entity in the
                                                                                                     were enacted in the groundfish fishery.               use a Vessel Monitoring System (VMS).
                                             groundfish fishery to exert market
                                                                                                     However, any other changes to the                     Handgear A fishermen enrolled in a
                                             power over the fishery. Analyses in                                                                           sector are currently required to utilize a
                                                                                                     accumulation limits would require an
                                             Amendment 18 conclude that no entity                                                                          VMS; however, installing and utilizing
                                                                                                     amendment to the FMP. We encourage
                                             currently has an excessive share of                                                                           a VMS system makes enrolling in a
                                                                                                     the Council to revisit the accumulation
                                             permits. Analyses also show that the                                                                          sector cost prohibitive for these small
                                                                                                     limits established in this Amendment if
                                             maximum allocation an entity could                                                                            vessels. Any sector interested in
                                                                                                     unanticipated developments adversely
                                             acquire would be around 20 PSC for the                                                                        utilizing this exemption is required to
                                                                                                     affect the goals and objectives of this
                                             majority of stocks, though PSC for                                                                            submit an exemption request to us for
                                                                                                     Amendment. For example, a substantial
                                             certain stocks, such as Georges Bank                                                                          approval. If a sector exemption were
                                                                                                     reduction in the number of NE
                                             winter flounder, could be acquired at                                                                         approved, a Handgear A vessel fishing
                                                                                                     multispecies limited access permits
                                             higher levels than other stocks. Any                                                                          within a sector utilizing the exemption
                                                                                                     (due to permit holders relinquishing
                                             payoff from obtaining excessive shares                                                                        would declare its trips through the
                                                                                                     their permits) could dramatically reduce
                                             would not be realized for many years, if                                                                      interactive voice response call-in system
                                                                                                     the permit cap.
                                             at all. Therefore, the combination of an                                                                      instead of through a VMS. This measure
                                             aggregate PSC limit of 232.5 and a 5-                   Ownership Interest                                    is intended to encourage Handgear A
                                             percent permit cap should be sufficient                   In order for an accumulation limit to               vessels to enroll in a sector by reducing
                                             to prevent market power from being                      be developed and applied, it is                       operating expenses. Sectors receive
                                             exerted.                                                necessary to first define the ownership               regulatory exemptions and larger
                                             Transfer of Permits by an Individual                    interest that will be limited. A unique               allocations that could provide
                                             Entity That Has Exceeded the PSC Limit                  definition of ownership interest as                   additional flexibility and fishing
                                                                                                     applied to the groundfish fishery is                  opportunities to Handgear A vessels.
                                                We expressed concern in the                          added in section 50 CFR 648.2 of the
                                             proposed rule that Amendment 18 does                                                                          Measures That Can Be Addressed in a
                                                                                                     regulations. To identify ownership
                                             not include permit transfer restrictions                                                                      Future Framework
                                                                                                     interests and account for accumulation
                                             on an individual entity that has                        limits in the groundfish fishery, a                      This action allows two measures
                                             exceeded the permit accumulation limit.                 permit holder is required to identify all             analyzed in Amendment 18 to be
                                             We determined this could potentially                    persons who hold an ownership interest                implemented through a future
                                             create an unintended loophole that                      in a particular permit when submitting                framework action. The Council explored
                                             would allow transfers to related parties.               a groundfish permit application or                    establishing a separate, optional
                                             Such transfers could result in family                   renewal form for that permit.                         allocation for the Handgear A fishery.
                                             members controlling permits or PSC in                                                                         Additionally, there was some interest in
                                             excess of the limits. We argued this was                2. Handgear A Measures                                considering separate management
                                             inconsistent with the Council’s intent                     To reduce effort controls and increase             measures for an inshore/offshore Gulf of
                                             for Amendment 18 to limit an entity’s                   flexibility for small boat fishermen, this            Maine (GOM) boundary, including
                                             holdings to a level that would prevent                  action removes or modifies several                    separate allocations for inshore and
                                             exerting market power. We requested                     management measures affecting limited                 offshore GOM cod. However, because
                                             public comment on a restriction we                      access permitted handgear vessels                     current catch limits for key groundfish
                                             proposed that would require permit                      (Handgear A vessels).                                 stocks, including GOM cod, are so low,
                                             transfers from an entity with a PSC                        First, this action removes the March               further sub-dividing allocations for
                                             greater than the PSC limit to be made                   1–20 spawning-block closure for all                   Handgear A, as well as inshore and
                                             via an ‘‘arm’s-length’’ transaction. For                Handgear A vessels. Fishing effort by
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                                                                                                                                                           offshore GOM cod, were controversial
                                             example, an arm’s-length transaction                    Handgear A vessels is restricted by a                 and would be difficult to develop and
                                             would be a permit transfer in the                       very small annual catch limit, and                    implement at this time. As a result, the
                                             ordinary course of business between                     vessels are subject to other spawning                 Council elected to potentially consider
                                             independent and unrelated entities,                     closures. This measure makes the                      these measures in a future framework.
                                             which would result in the owner who                     regulations for Handgear A vessels more                  In addition, several regulatory
                                             exceeded the limit maintaining no                       consistent with vessels fishing in                    clarifications are included at § 648.90 to


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                                             18708                Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations

                                             better delineate the responsibilities of                online at http://archive.nefmc.org/                      Comment 4: Several members of the
                                             the groundfish plan development team                    nemulti/planamen/Amend%2018/                          fishing industry and industry
                                             (PDT) as well as which Council                          compass_lexecon/                                      organizations contend that increasing
                                             management measures could be                            NEMFC%20Report%20Final.pdf.                           operational flexibility, reducing
                                             modified in a future framework.                            Comment 2: One commenter argued                    business expenses such as at-sea
                                                                                                     that there is minimal discussion on how               monitoring costs, allocating higher and
                                             Comments and Responses on                               the accumulation limits and catch caps                more stable catch limits, reducing input
                                             Amendment 18 and the Measures                           will affect the future viability of the               controls, and controlling groundfish
                                             Proposed in the Amendment 18                            fleet, and that more should be included.              catch from other fisheries would be
                                             Proposed Rule                                              Response: Analyses of the social and               more effective management measures to
                                               We received 15 comments during the                    economic impacts of the accumulation                  address the long-term sustainability of
                                             public comment period on the                            limits are included in section 7.6.2 of               the groundfish fleet.
                                             Amendment 18 proposed rule. We                          Amendment 18, as well as the                             Response: The Council’s intent for
                                             specifically requested comments on the                  regulatory impact review, in Section                  Amendment 18 was to develop
                                             Council’s proposed measures in                          9.11. These analyses include a                        accumulation limits for the groundfish
                                             Amendment 18 and whether they are                       discussion of both the short and long-                fishery to prevent an entity from
                                             consistent with the NE Multispecies                     term impacts of the alternatives, which               acquiring an excessive share. This was
                                             FMP, the Magnuson-Stevens Act and its                   are also summarized in Table 1 of the                 explained in the Federal Register notice
                                             National Standards, and other                           Amendment.                                            that established a control date for such
                                             applicable law. Eight commenters,                                                                             limits (67 FR 19305; April 7, 2011) and
                                                                                                     Amendment 18 Goals and Objectives
                                             including the Associated Fisheries of                                                                         announced at public scoping hearings
                                             Maine (AFM), Environmental Defense                         Comment 3: Many commenters,                        (76 FR 79153; December 21, 2011), as
                                             Fund (EDF), Northwest Atlantic Marine                   including those that generally supported              well as in the proposed rule for this
                                             Alliance (NAMA), Massachusetts                          and opposed the Amendment, argued                     action (81 FR 92763; December 20,
                                             Division of Marine Fisheries (MADMF),                   that the proposed management                          2016). As explained in Comment 3, the
                                             Penobscot East Resource Center (PERC),                  measures would not meet the goals and                 approved management measures meet
                                             Conservation Law Foundation (CLF),                      objectives of Amendment 18. The                       the goals and objectives of the
                                             and a few commercial fishermen wrote                    general concern was that consolidation                Amendment.
                                             in general opposition to the measures                   would still occur and that fleet diversity               The actions suggested by several
                                             proposed in Amendment 18. The                           would not be promoted as a result.                    members of the fishing industry could
                                             Northeast Seafood Coalition (NSC) and                      Response: Management measures in                   also promote the Amendment 18 goals
                                             Gloucester Fishermen’s Community                        Amendment 18 do address the goals and                 objectives and are worth future
                                             Preservation Fund (GFCPF) supported                     objectives of the Amendment.                          consideration by the Council.
                                             the Amendment. We consolidated                             Accumulation limits address goals 1,
                                                                                                     3, and 4 of the Amendment by making                   Accumulation Limits
                                             responses to similar comments and our
                                             responses are below.                                    it unlikely an entity could gain an                      Comment 5: Several commenters were
                                                                                                     excessive share of the fishery and exert              critical of the excessive-shares report
                                             Comments on the Amendment 18                            market power over other fishermen and                 developed by Compass Lexecon.
                                             Environmental Impact Statement                          stakeholders. A detailed discussion of                   Response: The Council contracted
                                                Comment 1: One commenter                             the goals and objectives was provided in              Compass Lexecon to provide an
                                             suggested including more details on                     the Amendment and the preamble to the                 independent review of excessive permit
                                             information and opinions expressed by                   proposed rule. The goals and objectives               shares in the groundfish fishery.
                                             fishing stakeholders during the                         include promoting fleet diversity,                    Preliminary results of the analysis were
                                             Amendment 18 public meeting sessions.                   upholding a resilient and stable fishery,             presented to the Council’s Groundfish
                                             This commenter also suggested that the                  and preventing any individual or entity               Committee at a number of its meetings
                                             pros and cons of sector management and                  from acquiring or controlling an                      so that the Committee and the public
                                             Amendment 18 be linked more clearly.                    excessive share of the fishery.                       could comment. The final report was
                                                Response: Ample information and                      Amendment 18 acknowledges that it is                  also peer reviewed, which allowed for
                                             documentation was available to the                      likely additional consolidation may                   additional opportunities for the public
                                             Council, NMFS, and the public during                    occur with these accumulation limits in               to provide input and comment on the
                                             this decision making process. In                        place. However, it is not expected to                 analysis. The Council considered the
                                             addition to topical summaries in section                occur to the extent where an entity                   final Compass Lexecon report, the peer
                                             3.4 of Amendment 18, Appendix II has                    could acquire an excessive share and                  review reports, public comments on the
                                             a 30-page summary of the public                         exert market power over other entities.               analysis, and other analyses conducted
                                             hearings, including both oral and                       Curbing consolidation helps to maintain               in support of the Amendment, when
                                             written comments on the Amendment.                      diversity even to a limited degree. While             making its decision on Amendment 18
                                             Responses to those public comments are                  other measures considered were more                   accumulation limit alternatives. The
                                             included in Appendix III and provide                    restrictive, the measures adopted by the              peer reviewer reports can be found here
                                             an adequate description of stakeholder                  Council achieve the goals and                         at https://www.st.nmfs.noaa.gov/
                                             concerns. Section 7.6.1.2 of Amendment                  objectives. As a result, establishing                 science-quality-assurance/cie-peer-
                                             18 includes a social impact analysis that               accumulation limits promotes a more                   reviews/cie-review-2014.
                                             reviews the impacts on fishermen and                    diverse and stable groundfish fishery.                   Comment 6: Most opponents,
                                             fishing communities. The influence and                                                                        including MADMF, CLF, EDF, NAMA,
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                                                                                                     Comments 5–14 below provide a
                                             interactions of sector management with                  detailed discussion on the accumulation               and PERC, contend that the proposed
                                             the groundfish fishery and fishing                      limits.                                               accumulation limits are too high and
                                             communities were also described in the                     Measures modifying and removing                    will foster further consolidation, which,
                                             Compass Lexecon report summarized in                    limited access handgear fishery                       in turn, reduces fleet diversity. Several
                                             the Amendment and the proposed rule.                    restrictions address goals 1, 2, and 3                commenters expressed concern that
                                             This report is also publically available                within the Amendment.                                 some entities could take advantage of


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                                                                  Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations                                         18709

                                             low allocations and permit prices to                    scenarios where entities could acquire                and help preserve a competitive market
                                             acquire additional permits to exert                     large allocations for one or more stocks              structure. In a fishery where there is a
                                             market power over the fishery. On the                   and potentially have an excessive share               competitive fringe, an entity could
                                             other hand, supporters of the                           of permits. For example, an entity could              acquire a high PSC of a given stock yet
                                             Amendment, such as NSC, argue that                      acquire a PSC of 50 for stock A, a PSC                be unable to exert market power. The
                                             the higher accumulation limits are                      of 30 for stock B, a PSC of 30 for stock              Compass Lexecon report concluded that
                                             necessary to offset constraining quotas,                C, and small allocations of other stocks              ‘‘an excessive-share cap of about 15
                                             and that a lower accumulation limit                     and still be under the PSC limit. Critics             percent would be sufficient to ensure
                                             would have penalized permit holders                     contend that this would allow an entity               low concentration for ACE regardless of
                                             for what they had already acquired.                     to acquire an excessive share.                        the level of the competitive fringe. The
                                                Response: Since the approval of                         Response: While the accumulation                   large competitive fringe for some
                                             Amendment 16 and the expansion of                       limit measures may mathematically                     species could allow for a higher share
                                             sectors in the groundfish fishery, many                 allow an entity to acquire an excessive               cap, should the [Council] choose to
                                             industry members and stakeholders                       share of groundfish permits, it is very               recommend separate caps for different
                                             have become increasingly concerned                      unlikely this will occur. These ‘‘worst               species.’’
                                             about fleet consolidation and the                       case’’ scenarios were described in a                     While the Compass Lexecon
                                             resulting negative impacts on fishing                   ‘‘deterministic analysis’’ in Amendment               recommendation was stock-specific, the
                                             vessels and fishing communities.                        18 (Section 9.11.1.4.1). This analysis                report did not include a permit cap in
                                             Amendment 18 was developed to                           examined how much PSC an entity                       addition to the PSC cap. The
                                             address these concerns.                                 could acquire under the accumulation                  Amendment 18 analyses conclude that
                                                Some fishing industry members and                    limits if it were able to purchase the                combining the PSC limit and permit cap
                                             organizations argued for more restrictive               permits with the most PSC for a                       should prevent an entity from acquiring
                                             accumulation limits. Several                            particular stock. For example, an entity              an excessive share of permits.
                                             organizations, such as CLF, viewed the                  could acquire either 40 PSC of GOM cod                   Comment 8: Several commenters,
                                             establishment of accumulation limits as                 or 73 PSC of Georges Bank winter                      including EDF and CLF, argue the
                                             an opportunity to readjust the                          flounder, before reaching an                          Amendment violates National Standards
                                             allocations from Amendment 16. For                      accumulation limit. However, as                       4 and 8 because the accumulation limits
                                             example, some suggested stock-specific                  explained in the Amendment and its                    do nothing to prevent consolidation of
                                             PSC limits ranging from 2.5 to 10 PSC,                  supporting analyses, the deterministic                the fleet and do not manage fishing
                                             and one commenter proposed reducing                     analysis is not necessarily a realistic               access consistent with historical
                                             the permit cap from 5 to 2.5 percent.                   scenario because of the high costs and                activities.
                                             These limits are much more restrictive                  logistical difficulty of acquiring the                   Response: We have carefully reviewed
                                             than the PSC many entities currently                    specific permits that contain the highest             the provisions in Amendment 18 and
                                             have and could have adversely affected                  PSC for a specific stock that could allow             have determined that the Amendment is
                                             an entity’s ability to adapt to changing                an entity to exert market power.                      consistent with both National Standards
                                             conditions. Also, limits as restrictive as                 Amendment 18 also includes a                       4 and 8. Amendment 18 is designed to
                                             these could have forced divestiture by                  probabilistic analysis, which is a model              fairly and equitably prevent the
                                             reallocating PSC from larger businesses                 designed to predict the likelihood that               acquisition of excessive shares as the
                                             to smaller.                                             an individual could strategically acquire             fishery consolidates. No measures in it
                                                During the development of                            permits that have high levels of PSC                  are designed to prevent the status quo
                                             Amendment 18, annual catch limits for                   while remaining under the permit cap.                 from continuing or an expansion from
                                             many groundfish stocks were                             The probabilistic analysis concludes                  occurring as stocks recover. By putting
                                             significantly reduced. Since there was                  that this would be very difficult. Under              in place measures designed to prevent
                                             less quota affiliated with each permit,                 the probabilistic analysis, the median                the acquisition of excessive shares while
                                             some fishermen acquired more permits                    accumulation for all stocks was below                 providing for operational flexibility, this
                                             and PSC to sustain fishing operations                   20 PSC. The Amendment 18 economic                     action minimizes to the extent
                                             and remain viable. Many entities and                    discussion concludes that the                         practicable the adverse economic effects
                                             organizations argued that more                          probabilistic analysis is much more                   that could accompany such restrictions
                                             restrictive accumulation limits would                   realistic than the potential PSC limits               on the purchase and sales of groundfish
                                             have negatively affected many                           projected under the deterministic                     permits, their PSC, and fishing vessels.
                                             businesses by adversely affecting the                   analysis. The review also explains that               An explanation of how Amendment 18
                                             market for permits and PSC.                             even without the accumulation limits,                 meets National Standards 4 and 8 is
                                                The Council had to balance the need                  acquiring the necessary permits to hold               provided in Section 9.1.1 of
                                             for accumulation limits with the need to                an excessive share would be extremely                 Amendment 18.
                                             provide operational flexibility to the                  complex, expensive, and time                             Amendment 18 suggests that further
                                             fleet. Understanding that no entity                     consuming. This may explain why no                    consolidation is anticipated, even with
                                             currently holds an excessive share of the               entity currently holds an excessive                   the accumulation limits, but not to the
                                             fishery, the Council selected the                       share of permits, despite years without               extent where an entity could acquire an
                                             alternative that provides the most                      any limitations.                                      excessive share of the fishery.
                                             operational flexibility to the fleet while                 The Compass Lexecon report used by                 Consolidation could occur at a greater
                                             substantially reducing the risk of an                   the Council to research excessive shares              rate without the accumulation limits
                                             entity acquiring an excessive share of                  in the groundfish fishery also found a                established through this action.
                                                                                                     substantial ‘‘competitive fringe’’ in                 Importantly, the Amendment 18
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                                             permits. If conditions or circumstances
                                             in the fishery change, the Council can                  several groundfish stocks. A competitive              analysis concludes that fishing
                                             re-visit the accumulation limits                        fringe is a large group of permit holders             communities would be worse off if the
                                             established through this action if                      who hold a relatively small amount of                 proposed accumulation limits were not
                                             necessary.                                              PSC. If the permit holders in the                     implemented because entities would
                                                Comment 7: Several commenters                        competitive fringe are efficient, then                remain unconstrained in their ability to
                                             provided hypothetical mathematical                      they are likely to remain in the fishery              acquire permits and PSC, including


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                                             18710                Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations

                                             potentially acquiring an excessive share                to avoid the limit, but continue                         However, we understand some of the
                                             of the fishery. We encourage the Council                operating collaboratively.                            concerns expressed by CLF. Although
                                             to continue developing additional                          For these reasons, establishing an                 the Council was focused on maintaining
                                             management measures that mitigate                       accumulation limit for sector ACE is not              flexibility, we recommend that the
                                             fleet consolidation and promote fleet                   necessary at this time and was not                    Council discuss and reconsider the
                                             diversity.                                              included in Amendment 18.                             ability for an entity to exceed the PSC
                                                Comment 9: Several commenters,                          Comment 11: EDF suggested that                     limit then ‘‘shelve’’ a permit.
                                             including MADMF, EDF, CLF, and                          fishing associations and permit banks                    Comment 13: One commenter
                                             PERC suggested that PSC limits should                   should have different PSC caps than                   requested that NMFS specifically codify
                                             be species or stock-specific instead of                 individual entities.                                  the 5-percent permit cap at 69 permits,
                                             the aggregate PSC limit adopted in this                    Response: The Council discussed this               which is 5 percent of the approximately
                                             action. Others, like the GFCPF and NSC                  idea in detail but was never able to                  1,373 total limited access NE
                                             argued that the PSC limits need to be                   clearly define a permit bank due to the               multispecies permits.
                                             aggregate because groundfish permits                    difficulty of identifying and                            Response: This comment is in direct
                                             include all groundfish stocks and are                   distinguishing different types of owners              response to our concern expressed in
                                             not severable.                                          and permit banks. For example, the                    the proposed rule—that an
                                                Response: The Council considered                     difference between an individual or                   unanticipated dramatic drop in limited
                                             these concerns when developing this                     organization that holds multiple permits              access permits (due to permit holders
                                             Amendment. In its report, Compass                       and a permit bank is not easily defined.              relinquishing their permits) could
                                             Lexecon suggested that PSC limits                                                                             substantially reduce the permit cap. For
                                                                                                     Some, such as EDF, argued that non-
                                             should be stock specific. Four of the six                                                                     example, when Amendment 18 was
                                                                                                     profits (particularly environmental non-
                                             PSC limit alternatives were stock-                                                                            developed, there were approximately
                                                                                                     government organizations) should have
                                             specific alternatives. However,                                                                               1,373 limited access groundfish permits,
                                                                                                     a higher PSC limit to promote permit
                                                                                                                                                           which would result in a 5-percent
                                             proponents of an aggregate limit                        banking operations, while opponents
                                                                                                                                                           permit cap of 69 permits. As of February
                                             explained that groundfish permits are                   were concerned that granting non-
                                                                                                                                                           21, 2017, there were 1,335 limited
                                             aggregate permits, with each permit                     profits higher PSC limits could reduce
                                                                                                                                                           access groundfish permits, which sets a
                                             containing a PSC for each allocated                     fishermen’s access to ACE and reduce
                                                                                                                                                           permit cap at 67 permits. A more
                                             stock. A stock-specific PSC limit would                 fishing opportunities and landings. Due
                                                                                                                                                           substantial reduction could greatly
                                             restrict the ability for an entity to                   to these complications, the Council                   reduce the permit cap. As we explained
                                             acquire additional PSC in more than one                 elected not to focus on this aspect and               in the proposed rule, this issue could be
                                             stock, which is a challenge in a                        selected a single PSC and permit limit                discussed and addressed by the Council
                                             multispecies fishery. Because of this,                  for all permit holders.                               in a future action, if necessary. We are
                                             the Council concluded that the stock-                      Comment 12: CLF contends that an                   not including regulations specifying a
                                             specific limits may be overly restrictive               entity should not be able to exceed the               specific number of permits for the
                                             given the current circumstances in the                  PSC limit and ‘‘shelve’’ a permit. It                 permit cap because we determined it
                                             fishery and not necessary at this time.                 argues that this measure would allow an               would not be consistent with the
                                             As explained above, the Amendment 18                    entity to choose which permit to shelve               Council’s intent to limit the degree of
                                             economic analysis concluded that the                    so that it could target PSC for a                     consolidation.
                                             aggregate PSC limit, along with the                     particular species with a higher                         Comment 14: Three commenters
                                             permit cap, should deter an entity from                 likelihood of achieving market power.                 supported, and two commenters
                                             acquiring an excessive share of permits.                CLF also suggested that shelving a                    opposed, our suggestion that permit
                                                Comment 10: One commenter                            permit has a similar economic effect on               transfers for entities who have exceeded
                                             suggested that accumulation limits                      the fishery as fishing it because other               the PSC limit and ‘‘shelved’’ permits
                                             should include limiting a sector’s                      fishermen are unable to utilize the                   should be transferred via an ‘‘arm’s-
                                             annual catch entitlement (ACE) at the                   shelved PSC.                                          length’’ transaction. Those commenters
                                             species or stock level.                                    Response: This measure was selected                in opposition suggested that the
                                                Response: The accumulation limits in                 by the Council because it provides                    measure should first be considered and
                                             this action do not apply to a sector’s                  fishermen more flexibility when                       discussed by the Council.
                                             ACE. Available analyses show that there                 purchasing aggregated multispecies                       Response: As explained in the
                                             is no need for an excessive share cap on                permits, for reasons similar to those                 preamble above, the arm’s-length
                                             sector-affiliated ACE because the sectors               explained in Comment 9. The challenge                 transaction requirement closes a
                                             themselves do not control how member                    fishermen encounter is that each permit               loophole to the PSC limit restriction.
                                             vessels use ACE. Since the                              has PSC for all groundfish stocks. A                  Without this additional restriction, a
                                             implementation of Amendment 16, each                    fisherman looking to acquire a specific               loophole could allow an entity to
                                             sector has reallocated its ACE to its                   permit with a higher PSC in a stock they              indirectly acquire an excessive share of
                                             members in a manner consistent with                     want or need to target may be unable to               the fishery through collusion of permit
                                             each member’s PSC. If a groundfish                      do so because of PSCs from other stocks               holdings. This measure improves the
                                             sector were to modify its operations in                 on the permit. This measure was                       enforceability of the PSC accumulation
                                             a manner where it began to exercise                     designed to give fishermen the                        limit and ensures that the limit is a real
                                             control over how vessel operators used                  flexibility to shift target species or                limit, not just a limit on paper. Without
                                             ACE, it could be worthwhile to consider                 permits while remaining under the PSC                 the arm’s-length transfer requirement,
                                             an ACE limit.                                           limit. To prevent an entity from trying               an entity could undermine the intent of
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                                                Also, there are no specific regulations              to acquire an excessive share of permits,             the accumulation limits by transferring
                                             that prevent one sector from dividing                   vessel owners are not able to acquire an              a permit to a family member or other
                                             into multiple sectors. If an ACE limit                  additional permit if they have shelved a              entity the transferor controls indirectly.
                                             was adopted and a sector was at risk of                 permit. The PSC affiliated with a                     The Council did not provide public
                                             reaching that limit, the members could                  ‘‘shelved’’ permit is unusable and is not             comment on this measure; however, we
                                             simply break into two separate sectors                  redistributed to the fishery.                         determined that ensuring the limits are


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                                                                  Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations                                        18711

                                             effective is consistent with the Council’s              These groups requested that a short-                  Changes From the Proposed Rule
                                             intent and the goals and objectives of                  term task force be established to develop                As explained in the preamble of this
                                             Amendment 18. For these reasons, we                     inshore and offshore fishery                          rule and in Comment 14 above, using
                                             are implementing this requirement.                      management measures.                                  our authority under section 305(d) of
                                             Other Measures                                             Response: We agree that inshore and                the Magnuson-Stevens Act, we added a
                                                                                                     offshore management measures are                      regulatory measure at 50 CFR
                                                Comment 15: The Northeast Hook                       worth further consideration. As
                                             Fishermen’s Association wrote in                                                                              648(a)(1)(i)(N)(4) that requires permit
                                                                                                     explained in Amendment 18 and the                     transfers for individuals that exceed the
                                             support of the Handgear A management                    proposed rule for this action, the
                                             measures.                                                                                                     accumulation limit to be made by an
                                                                                                     Council considered, but decided not to                arm’s-length transaction. The arm’s-
                                                Response: We agree that these                        pursue, development of distinct inshore
                                             measures will provide additional                                                                              length requirement was discussed in the
                                                                                                     and offshore fishery management                       preamble of the proposed rule.
                                             operating flexibility for Handgear A                    measures for vessels fishing in the
                                             vessels and have approved these                                                                                  The regulatory text proposed at
                                                                                                     GOM. The Council spent considerable                   § 648.4(a)(1)(i)(N) was revised to better
                                             measures. The Council should continue                   time debating these issues and elected
                                             to consider management measures that                                                                          clarify how the grandfather provision is
                                                                                                     to potentially pursue the measures in a               applied to the accumulation limits
                                             will provide increased flexibility and                  future framework adjustment. Requests
                                             additional fishing opportunities for                                                                          implemented through this action.
                                                                                                     to establish a short-term task force
                                             handgear vessels.                                                                                             Classification
                                                                                                     should be brought to the Council and its
                                                Comment 16: Two commenters
                                                                                                     Groundfish Oversight Committee.                          Pursuant to section 304(b)(1)(A) of the
                                             argued there is a greater need for market
                                             transparency in the groundfish fishery                     Comment 18: EDF expressed concern                  Magnuson-Stevens Act, the NMFS
                                             and urged the Council and NMFS to                       that establishing the Redfish Exemption               Assistant Administrator has determined
                                             make ACE trade data more transparent.                   Area would increase misreporting and                  that the management measures
                                             They expressed concern that a lack of                   suggested that any vessel targeting                   implemented in this final rule are
                                             market and trade information is                         redfish in an exemption area be required              necessary for the conservation and
                                             detrimental to some fishermen who may                   to have 100-percent monitoring                        management of the NE multispecies
                                             be undervaluing their allocations or                    coverage, or be monitored                             fishery and consistent with the
                                             unknowingly overpaying for quota. It                    electronically.                                       Magnuson-Stevens Act, and other
                                             was suggested that trade data could be                     Response: The Council chose not                    applicable law.
                                             aggregated in a manner so that                          adopt the Redfish Exemption Area in                      The Council prepared, and NMFS
                                             confidential information is not released.               Amendment 18. However, groundfish                     filed, a final environmental impact
                                                Response: The Council considered an                  sector vessels have a regulatory                      statement (FEIS) for this action with the
                                             alternative in Amendment 18 to exempt                   exemption from minimum mesh size                      Environmental Protection Agency
                                             ACE disposition data from                               requirements so they can better target                (EPA). The EPA published a notice of
                                             confidentiality restrictions. Under this                redfish. A proposed rule soliciting                   availability for the FEIS on October 14,
                                             alternative, value associated with the                  public comment on sector operations                   2016 (81 FR 71094).
                                             movement of ACE within and between                      plans and exemptions for the 2017–2018                   In approving the Amendment on
                                             sectors would have been considered                      fishing years will be published in spring             March 6, 2017, NMFS issued a record of
                                             non-confidential and made available to                  2017. Comments on the Redfish                         decision (ROD) identifying the selected
                                             the public. Consistent with current data                Exemption Area should be made                         alternative. A copy of the ROD is
                                             submission timeframes, price data on                    through that action.                                  available from NMFS (see ADDRESSES).
                                             trades made between sectors would                          Comment 19: Two commenters were                       This final rule has been determined to
                                             have been made available during the                     critical of how the Council managed the               be not significant for purposes of
                                             fishing year. Price data on the                         public comment process during the                     Executive Order (E.O.) 12866.
                                             movement of ACE within sectors would                    development of Amendment 18, arguing                     This final rule does not contain
                                             have been made available after the end                  that the Council often disregards                     policies with Federalism or ‘‘takings’’
                                             of the fishing year.                                    fishermen’s concerns. One organization                implications as those terms are defined
                                                Under the Magnuson-Stevens Act,                      wrote in support of the Council process.              in E.O. 13132 and E.O. 12630,
                                             only data required to be submitted to                      Response: We disagree that the                     respectively.
                                             NMFS for a determination in a limited                   Council mismanaged the public                            This rule includes two regulatory
                                             access program can be released. The                     comment process. The public had ample                 modifications that will increase the
                                             Council did not select this alternative as              opportunities to comment on                           operational flexibility for Handgear A
                                             preferred because NMFS determined                       Amendment 18 and its proposed                         vessels. Because these regulatory
                                             that ACE price data are not submitted to                management measures. Amendment 18                     changes relieve regulatory restrictions,
                                             NMFS for a determination in the sector                  was developed over several years during               these measures are not subject to the 30-
                                             catch-share program, and, therefore,                    dozens of public meetings. All of the                 day delayed effectiveness provision of
                                             may not be released under the                           management measures were developed                    the APA pursuant to 5 U.S.C. 553(d)(1).
                                             Magnuson-Stevens Act data                               with public comment. The public was                   Currently, Handgear A vessels are
                                             confidentiality provisions. Because                     able to comment on the scope of the                   required to carry a standard fish tote on
                                             these data are confidential per the                     Amendment, review draft and final                     board. Because enforcement no longer
                                             Magnuson-Stevens Act requirement,                       environmental impact statements,                      use totes for at-sea weight and volume
                                                                                                     critique the Amendment itself, and                    estimates, the requirement for vessels to
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                                             neither the Council nor NMFS can
                                             release pricing behavior and ACE usage                  respond to proposed regulations. The                  carry a tote is unnecessary and is being
                                             at the level of detail requested.                       Council and NMFS followed public                      removed. This action also allows a
                                                Comment 17: NAMA and PERC                            comment processes required by the                     groundfish sector to request an
                                             suggested that Amendment 18 should                      National Environmental Policy Act, the                exemption from requiring Handgear A
                                             have included inshore and offshore                      Magnuson-Stevens Act, and the                         vessels to utilize a vessel monitoring
                                             management measures for the GOM.                        Administrative Procedure Act (APA).                   system (VMS). Currently, all sector


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                                             18712                Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations

                                             vessels are required to use a VMS while                 directly related to the IRFA; the Chief               A description of the specific entities
                                             fishing. Handgear vessels have argued                   Counsel for the Office of Advocacy of                 that are likely to be impacted is
                                             that this requirement is cost prohibitive.              the Small Business Administration                     included below for informational
                                             If an exemption were requested and                      (SBA) did not file any comments. No                   purposes, followed by a discussion of
                                             approved, Handgear A vessels enrolled                   changes to the proposed rule measures                 those regulated entities likely to be
                                             in a sector with the exemption would no                 were necessary as a result of these                   impacted by the proposed regulations.
                                             longer be required to purchase a VMS.                   public comments.                                      For the purposes of the RFA analysis,
                                             This measure increases the feasibility                                                                        the ownership entities, not the
                                                                                                     Description and Estimate of the Number
                                             for a Handgear A vessel to enroll in a                                                                        individual vessels, are considered the
                                                                                                     of Small Entities to Which This Rule
                                             sector by reducing its operating                                                                              regulated entities.
                                                                                                     Will Apply
                                             expenses.                                                                                                        Individually-permitted vessels may
                                                                                                        On December 29, 2015, NMFS issued                  hold permits for several fisheries,
                                             Final Regulatory Flexibility Analysis                   a final rule establishing a small business            harvesting species of fish that are
                                               Section 604 of the Regulatory                         size standard of $11 million in annual                regulated by several different FMPs,
                                             Flexibility Act (RFA) requires an agency                gross receipts for all businesses                     even beyond those affected by
                                             to prepare a final regulatory flexibility               primarily engaged in the commercial                   Amendment 18. Furthermore, multiple
                                             analysis (FRFA) after being required by                 fishing industry (NAICS 11411) for                    permitted vessels and/or permits may be
                                             that section or any other law to publish                Regulatory Flexibility Act (RFA)                      owned by entities affiliated by stock
                                             a general notice of proposed rulemaking                 compliance purposes only (80 FR                       ownership, common management,
                                             and when an agency promulgates a final                  81194, December 29, 2015). The $11                    identity of interest, contractual
                                             rule under section 553 of Title 5 of the                million standard became effective on                  relationships, or economic dependency.
                                             U.S. Code. The FRFA describes the                       July 1, 2016, and is to be used in place              For this analysis, ownership entities are
                                             economic impact of this action on small                 of the SBA’s current standards of $20.5
                                                                                                                                                           defined by those entities with common
                                             entities. The FRFA includes a summary                   million, $5.5 million, and $7.5 million
                                                                                                                                                           ownership personnel as listed on permit
                                             of significant issues raised by public                  for the finfish (NAICS 114111), shellfish
                                                                                                                                                           application documentation. Only
                                             comments, the analyses contained in                     (NAICS 114112), and other marine
                                                                                                                                                           permits with identical ownership
                                             Amendment 18 and its accompanying                       fishing (NAICS 114119) sectors,
                                                                                                                                                           personnel are categorized as an
                                             FEIS/Regulatory Impact Review/Initial                   respectively, of the U.S. commercial
                                                                                                                                                           ownership entity. For example, if five
                                             Regulatory Flexibility Analysis (IRFA),                 fishing industry in all NMFS rules
                                                                                                                                                           permits have the same seven personnel
                                             the IRFA summary in the proposed rule,                  subject to the RFA after July 1, 2016.
                                                                                                        Pursuant to the RFA, and prior to July             listed as co-owners on their application
                                             as well as the summary provided below.
                                                                                                     1, 2016, an IRFA was developed for this               paperwork, those seven personnel form
                                             A statement of the necessity for and
                                             objectives of this action are contained in              regulatory action using SBA’s size                    one ownership entity, covering those
                                             Amendment 18 and in the preamble to                     standards. NMFS has reviewed the                      five permits. If one or several of the
                                             this final rule, and is not repeated here.              analyses prepared for this regulatory                 seven owners also own additional
                                             A copy of this analysis is available from               action in light of the new size standard.             vessels, with sub-sets of the original
                                             the Council (see ADDRESSES).                            Under the previously-used SBA’s size                  seven personnel or with new co-owners,
                                                                                                     standards, all of the commercial finfish              those ownership arrangements are
                                             A Summary of the Significant Issues                                                                           deemed to be separate ownership
                                                                                                     and other marine fishing businesses
                                             Raised by the Public in Response to the                                                                       entities for the purpose of this analysis.
                                                                                                     were considered small, while 12 of the
                                             IRFA, a Summary of the Agency’s                                                                                  Ownership entities are identified on
                                                                                                     237 shellfish businesses were
                                             Assessment of Such Issues, and a                                                                              June 1 of each year based on the list of
                                                                                                     determined to be large (Tables 1 and 2).
                                             Statement of Any Changes Made in the                       The new standard could result in a                 all permit numbers for the most recent
                                             Final Rule as a Result of Such                                                                                complete calendar year that have
                                                                                                     few more commercial shellfish
                                             Comments                                                                                                      applied for any type of NE Federal
                                                                                                     businesses being considered small.
                                                Our responses to all of the comments                 However, taking the size standard                     fishing permit. At the time of the
                                             received on the proposed rule,                          change into consideration, NMFS has                   Amendment 18 analyses, the ownership
                                             including those that raised significant                 identified no additional significant                  data set was based on calendar year
                                             issues with the proposed action, or                     alternatives that accomplish statutory                2014 permits and contained gross sales
                                             commented on the economic analyses                      objectives and minimize economic                      associated with those permits for
                                             summarized in the IRFA and below, can                   impacts of the proposed rule on small                 calendar years 2012 through 2014.
                                             be found in the Comments and                            entities. Further, the new size standard                 On June 1, 2015, there were 661
                                             Responses section of this rule. Comment                 does not affect the decision to prepare               commercial business entities potentially
                                             2 suggested that additional analyses                    a FRFA as opposed to a certification for              regulated by this action. Entities
                                             detailing how permit caps will affect the               this regulatory action.                               permitted to operate in the NE
                                             future viability of the fleet was needed.                  Analyses in Tables 2 and 3 below                   multispecies limited access fishery are
                                             Comment 5 explained that several                        reveal that no groundfish-dependent                   described in Tables 1 and 2. As of
                                             commenters were critical of an                          entities exceeded the previous SBA                    June 1, 2015, there were 1,147
                                             independent report and analyses                         standard of $5.5 million in gross sales,              individual limited access permits. The
                                             utilized by the Council to develop                      with the mean gross sale per entity                   34 for-hire businesses included here are
                                             Amendment 18 accumulation limits.                       being less than $2 million. It is therefore           entities affiliated with limited access
                                             Comment 6 summarized that most                          unlikely that any finfish, or more                    commercial groundfish permits, but
                                             opponents to the Amendment contend                                                                            derive greater than 50 percent of their
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                                                                                                     specifically, groundfish-dependent
                                             that the accumulation limits will                       vessels, would be considered a large                  gross sales from party/charter
                                             promote additional consolidation and                    business under the new NMFS size                      operations. All are small businesses
                                             reduced fleet diversity. Detailed                       standard.                                             (average gross revenues from 2012–14
                                             responses are provided to each of these                    Amendment 18 regulates commercial                  are less than $7.5 million). The
                                             specific comments and are not repeated                  fish harvesting entities engaged in the               remaining 75 entities had no revenue
                                             here. There were no other comments                      NE multispecies limited access fishery.               and are classified as small.


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                                                                         Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations                                                                                              18713

                                                These totals may mask some diversity                              deriving greater than 50 percent of gross                                       TABLE 1—ENTITIES REGULATED BY
                                             among the entities. Many, if not most,                               sales from sales of regulated species                                                   AMENDMENT 18
                                             of these ownership entities maintain                                 associated with a specific fishery, those
                                             diversified harvest portfolios, obtaining                            ownership groups most likely to be                                                         Type                       Number            Number
                                             gross sales from many fisheries and are                              affected by the proposed regulations can                                                                                                 small
                                             not dependent on any one. However,                                   be identified. Using this threshold, 61                                  Primarily finfish .............                         315           315
                                             not all are equally diversified. Those                               entities are groundfish-dependent; all of                                Primarily shellfish ..........                          237           225
                                             that depend most heavily on sales from                               which are small under both the SBA                                       Primarily for-hire ...........                           34            34
                                             harvesting species affected directly by                              and NMFS size standards (Table 3).                                       No Revenue ..................                            75            75
                                             Amendment 18 are most likely to be
                                             affected. By defining dependence as                                                                                                                  Total ..........................                 661           649


                                                                                            TABLE 2—DESCRIPTION OF REGULATED ENTITIES BY GROSS SALES
                                                                                                                                      Number                     Mean                      Median                    Mean permits                  Max permits
                                                                Sales category                                  Number                 small                  gross sales                gross sales                  per entity                    per entity

                                             <$50K .......................................................               186                        186             $10,597                      $1,954                               1.3                          30
                                             50–100K ...................................................                  71                         71              76,466                      78,736                               1.3                           3
                                             100–500K .................................................                  225                        225             244,672                     219,731                               1.3                           4
                                             500K–1mil ................................................                   91                         91             734,423                     720,668                               1.7                           7
                                             1–5.5mil ....................................................                74                         73           1,899,461                   1,498,138                               2.4                          11
                                             5.5mil+ .....................................................                14                          3          11,900,790                   7,383,522                              12.4                          28


                                                   TABLE 3—IMPACTED GROUNDFISH-DEPENDENT REGULATED COMMERCIAL GROUNDFISH ENTITIES BY GROSS SALES
                                                                                                                                Average               Maximum
                                                                                                                                 fishing                                      Median                    Mean                  Median                   Mean
                                                                                                                Large                                  fishing
                                                                                            Entities                            permits                                        gross                     gross               groundfish              groundfish
                                                              Sales                                          businesses                                permits
                                                                                           (number)                              owned                                         sales                     sales                  sales                   sales
                                                                                                              (number)                                per entity
                                                                                                                               per entity                                    per entity                per entity            per entity              per entity
                                                                                                                                                      (number)
                                                                                                                               (number)

                                             <$50K ...................................                 6                 0                 1.0                       1          $10,116                    $20,316                $8,831                   $16,476
                                             50–100K ...............................                   7                 0                 1.1                       2           72,052                     67,390                56,221                    49,341
                                             100–500K .............................                   22                 0                 1.6                       4          226,938                    240,833               116,018                   172,331
                                             500K–1mil ............................                   13                 0                 1.2                       2          698,226                    718,231               398,548                   491,838
                                             1–5.5mil ................................                13                 0                 2.2                       4        1,553,597                  1,854,052             1,292,445                 1,403,896

                                                   Total ownership entities                           61                 0   ....................   ....................   ....................      ....................   ....................    ....................



                                             Description of Projected Reporting,                                  would be 1 hr and cost $1. Currently, no                                 Description of the Steps the Agency Has
                                             Record Keeping, and Other Compliance                                 entity exceeds the PSC allocation limit;                                 Taken To Minimize Significant
                                             Requirements                                                         the most PSC any entity holds is                                         Economic Impact on Small Entities
                                                                                                                  approximately 140 PSC, and the limit is                                  Consistent With the Stated Objectives of
                                                This final rule contains a collection-                                                                                                     Applicable Statutes
                                                                                                                  232.5 PSC. As a result, it is unlikely that
                                             of-information requirement subject to
                                                                                                                  any entity would reach this threshold,
                                             the Paperwork Reduction Act (PRA) and                                                                                                            This FRFA is intended to analyze how
                                             which is under review by OMB under                                   or that this action would directly affect                                small entities would be affected by the
                                             control number 0648–0202. This                                       fishing operations.                                                      Amendment 18 management measures.
                                             revision requires any entity that has                                   Send comments regarding these                                         This action is expected to have minimal,
                                             exceeded the PSC limit to render one or                              burden estimates or any other aspect of                                  if any, impact on regulated small
                                             more permits ‘‘unusable’’ so that the                                this data collection, including                                          entities. The vast majority (649 out of
                                             entity would be operating within the                                 suggestions for reducing the burden, to                                  661) of potentially regulated entities are
                                             allocation limit. If an entity exceeds the                           NMFS (see ADDRESSES) and by email to                                     classified as small businesses by SBA
                                             PSC limit, the entity would be required                              OIRA_Submission@omb.eop.gov, or fax                                      and NMFS business size standards.
                                             to complete a ‘‘Permit Shelving Form’’                               to 202–395–7285.                                                            In general, the small entities regulated
                                             and render one or more permits                                                                                                                by this action will be unaffected. The
                                                                                                                     Notwithstanding any other provision
                                             unusable.                                                                                                                                     majority of limited access groundfish
                                                                                                                  of the law, no person is required to
                                                Public reporting burden for the permit                            respond to, and no person shall be                                       permit holders possess permits and PSC
                                             shelving form is estimated to average 30                             subject to penalty for failure to comply                                 in far smaller quantities than the
                                             minutes per response, including the                                  with, a collection of information subject                                proposed accumulation limits.
                                             time for reviewing instructions,                                                                                                              However, individuals who comprise a
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                                                                                                                  to the requirements of the PRA, unless
                                             searching existing data sources,                                     that collection of information displays a                                part of, or the entirety of, these small
                                             gathering and maintaining the data                                                                                                            entities could be restricted in the
                                                                                                                  currently valid OMB control number.
                                             needed, and completing and reviewing                                                                                                          number of permits or the amount of PSC
                                             the collection of information. If two                                                                                                         shares they wish to accumulate in the
                                             entities had to complete a ‘‘Permit                                                                                                           future, which could affect potential
                                             Shelving Form,’’ the burden estimate                                                                                                          revenue.


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                                             18714                Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations

                                                The PSC limit alternative that was                   List of Subjects in 50 CFR Part 648                      (3) Grandfather provision. Paragraphs
                                             selected for this action provided the                     Fisheries, Fishing, Reporting and                   (a)(1)(i)(N)(1) and (2) of this section do
                                             most flexibility of all the alternatives                recordkeeping requirements.                           not apply to a limited access NE
                                             proposed. Vessel permit holders can                                                                           multispecies permit or CPH if held on
                                             continue to accumulate permits in a                       Dated: April 17, 2017.
                                                                                                                                                           April 7, 2011. Any additional limited
                                             manner that allows them to maximize                     Alan D. Risenhoover,                                  access NE multispecies permit or CPH
                                             fishing opportunities within their                      Acting Deputy Assistant Administrator for             that a person acquires after April 7,
                                             portfolio.                                              Regulatory Programs, National Marine                  2011, are subject to the accumulation
                                                Several stock-specific PSC limit                     Fisheries Service.
                                                                                                                                                           limits specified within this section.
                                             alternatives considered in the                            For the reasons stated in the                          (4) Any person can be issued one
                                             Amendment were not selected because                     preamble, NMFS amends 50 CFR part                     limited access NE multispecies permit
                                             the Council determined the alternatives                 648 as follows:                                       or CPH that results in that person’s total
                                             would have been too restrictive. For                                                                          PSC exceeding the PSC limit as
                                             example, limiting an ownership entity                   PART 648—FISHERIES OF THE
                                                                                                                                                           described in this section. That person
                                             to an accumulation limit equivalent to                  NORTHEASTERN UNITED STATES
                                                                                                                                                           must identify to NMFS on or before
                                             the PSC held as of the control date                                                                           March 31 of each year, vessel permits or
                                                                                                     ■ 1. The authority citation for part 648
                                             could have forced divestiture in the                                                                          CPH that will be rendered unusable the
                                                                                                     continues to read as follows:
                                             fishery and would have prevented                                                                              upcoming fishing year so that the
                                             ownership entities from growing.                            Authority: 16 U.S.C. 1801 et seq.
                                                                                                                                                           person’s total PSC for the upcoming
                                             Similarly, establishing a specific                      ■ 2. In § 648.2, add a definition for                 fishing year is an amount equal to or
                                             accumulation limit for a specific                       ‘‘Ownership interest’’ in alphabetical                below the PSC limit. Beginning on May
                                             groundfish stock could have reduced                     order to read as follows:                             1, the permits or CPH rendered
                                             opportunities for entities to expand into                                                                     unusable may not be fished, leased, or
                                             other fisheries and restrict operational                § 648.2    Definitions.
                                                                                                                                                           enrolled in a sector by that person for
                                             flexibility. Additional information on                  *     *      *    *     *                             the remainder of the fishing year, but
                                             these alternatives is available in section                 Ownership interest, in the NE
                                                                                                                                                           may be transferred by that person. The
                                             4.1 of the Amendment.                                   multispecies fishery, includes, but is not
                                                                                                                                                           transfer of a permit or CPH rendered
                                                Handgear A permit holders will be                    limited to holding share(s) or stock in
                                                                                                                                                           unusable shall be made through an
                                             largely unaffected by the limited access                any corporation, any partnership
                                                                                                                                                           arm’s-length transaction (for example, to
                                             handgear measures. As explained in the                  interest, or membership in a limited
                                                                                                                                                           an independent and unrelated entity
                                             preamble, the Handgear A management                     liability company, or personal
                                                                                                                                                           that does not share an ownership
                                             measures approved in this action                        ownership, in whole or in part, of a
                                                                                                                                                           interest with that person).
                                             actually remove regulatory restrictions,                vessel issued a limited access NE
                                             increasing operational flexibility and                  multispecies permit or confirmation of                *      *     *    *      *
                                             fishing opportunities.                                  permit history (CPH), including any                      (c) * * *
                                                Several management measures and                      ownership interest in any entity or its                  (2) Vessel permit information
                                             alternatives were considered but not                    subsidiaries or partners, no matter how               requirements. (i) An application for a
                                             selected by the Council. Other                          far removed.                                          permit issued under this section, in
                                             alternatives may be considered in a                                                                           addition to the information specified in
                                                                                                     *     *      *    *     *
                                             future framework, as explained in the                                                                         paragraph (c)(1) of this section, also
                                                                                                     ■ 3. In § 648.4, add paragraph
                                             preamble above. Additional information                                                                        must contain at least the following
                                                                                                     (a)(1)(i)(N) and revise paragraph (c)(2)(i)           information, and any other information
                                             on these alternatives and justifications                to read as follows:
                                             for the Council’s decision are explained                                                                      required by the Regional Administrator:
                                             in section 4 of the Amendment.                          § 648.4    Vessel permits.                            Vessel name, owner name or name of
                                                                                                        (a) * * *                                          the owner’s authorized representative,
                                             Small Entities Compliance Guide                                                                               mailing address, and telephone number;
                                                                                                        (1) * * *
                                                Section 212 of the Small Business                       (i) * * *                                          USCG documentation number and a
                                             Regulatory Enforcement Fairness Act of                     (N) Accumulation limits—(1) 5-                     copy of the vessel’s current USCG
                                             1996 states that, for each rule or group                percent permit/CPH restriction. Any                   documentation or, for a vessel not
                                             of related rules for which an agency is                 person with an ownership interest in                  required to be documented under title
                                             required to prepare a FRFA, the agency                  the NE multispecies fishery is not                    46 U.S.C., the vessel’s state registration
                                             shall publish one or more guides to                     eligible to be issued a limited access NE             number and a copy of the current state
                                             assist small entities in complying with                 multispecies permit or CPH for a vessel               registration; a copy of the vessel’s
                                             the rule, and shall designate such                      if the issuance results in the person                 current party/charter boat license (if
                                             publications as ‘‘small entity                          having an ownership interest in excess                applicable); home port and principal
                                             compliance guides.’’ The agency shall                   of 5 percent of all limited access NE                 port of landing, length overall, GRT, NT,
                                             explain the actions a small entity is                   multispecies permits and CPH that are                 engine horsepower, year the vessel was
                                             required to take to comply with a rule                  issued as of the date the permit/CPH                  built, type of construction, type of
                                             or group of rules. As part of this                      application is received by the NMFS.                  propulsion, approximate fish hold
                                             rulemaking process, a letter to permit                     (2) PSC limit. Any person with an                  capacity, type of fishing gear used by
                                             holders that also serves as small entity                ownership interest in the NE                          the vessel, number of crew, number of
                                             compliance guide (the guide) was                        multispecies fishery is not eligible to be            party or charter passengers licensed to
                                             prepared. Copies of this final rule are                 issued a limited access NE multispecies               be carried (if applicable), permit
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                                             available from the Greater Atlantic                     permit or CPH for a vessel that results               category; if the owner is a corporation,
                                             Regional Fisheries Office, and the guide,               in that person’s average potential sector             a copy of the current Certificate of
                                             (i.e., bulletin), will be sent to all holders           contribution (PSC) exceeding a share of               Incorporation or other corporate papers
                                             of permits for the NE multispecies                      15.5 for all the allocated stocks in                  showing the date of incorporation and
                                             fishery. The guide and this final rule                  aggregate, except as provided in                      the names of the current officers of the
                                             will be available upon request.                         paragraph (a)(1)(i)(N)(4) of this section.            corporation, and the names and


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                                                                  Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations                                        18715

                                             addresses of all persons holding any                    possession limit for other regulated                  20 of each year. A common pool vessel
                                             ownership interest in a NE multispecies                 species and ocean pout, as specified                  must declare out and be out of the NE
                                             permit or CPH or shareholders owning                    under § 648.86. If either the GOM or GB               multispecies DAS program, and a sector
                                             25 percent or more of the corporation’s                 cod trip limit applicable to a vessel                 must declare that the vessel will not fish
                                             shares for other fishery permits; if the                fishing under a NE multispecies DAS                   with gear capable of catching NE
                                             owner is a partnership, a copy of the                   permit, as specified in § 648.86(b)(1)                multispecies (i.e., gear that is not
                                             current Partnership Agreement and the                   and (2), respectively, is reduced below               defined as exempted gear under this
                                             names and addresses of all partners;                    300 lb (135 kg) per DAS by NMFS, the                  part), for a 20-day period between
                                             permit number of any current or, if                     cod trip limit specified in this paragraph            March 1 and May 31 of each calendar
                                             expired, previous Federal fishery permit                (b)(6) shall be adjusted to be the same               year, using the notification requirements
                                             issued to the vessel.                                   as the applicable cod trip limit specified            specified in § 648.10. A vessel fishing
                                             *     *     *     *    *                                for NE multispecies DAS permits. For                  under a Day gillnet category designation
                                             ■ 4. In § 648.14:
                                                                                                     example, if the GOM cod trip limit for                is prohibited from fishing with gillnet
                                             ■ a. Add paragraphs (k)(2)(v) and (vi);                 NE multispecies DAS vessels was                       gear capable of catching NE
                                             ■ b. Revise paragraph (k)(9)(i); and                    reduced to 250 lb (113.4 kg) per DAS,                 multispecies during its declared 20-day
                                             ■ c. Add paragraph (k)(9)(ii)(N).                       then the cod trip limit for a vessel                  spawning block, unless the vessel is
                                                The additions and revisions read as                  issued a Handgear A category permit                   fishing in an exempted fishery, as
                                             follows:                                                that is fishing in the GOM Regulated                  described in § 648.80. If a vessel owner
                                                                                                     Mesh Area would also be reduced to                    has not declared and been out of the
                                             § 648.14   Prohibitions.                                250 lb (113.4 kg). Qualified vessels                  fishery for a 20-day period between
                                             *       *    *     *     *                              electing to fish under the Handgear A                 March 1 and May 31 of each calendar
                                                (k) * * *                                            category are subject to the following                 year on or before May 12 of each year,
                                                (2) * * *                                            restrictions:                                         the vessel is prohibited from fishing for,
                                                (v) Fish for, possess, land fish, enroll                (i) The vessel must not use or possess             possessing or landing any regulated
                                             in a sector, or lease a permit or                       on board gear other than handgear while               species, ocean pout, or non-exempt
                                             confirmation of permit history (CPH) as                 in possession of, fishing for, or landing             species during the period from May 12
                                             a lessor or lessee, with a permit that has              NE multispecies;                                      through May 31.
                                             been rendered unusable as specified in                     (ii) Tub-trawls must be hand-hauled                *     *      *     *    *
                                             § 648.4(a)(1)(i)(N).                                    only, with a maximum of 250 hooks;                    ■ 6. In § 648.87, revise paragraph
                                                (vi) Acquire a limited access NE                     and                                                   (c)(2)(i) introductory text to read as
                                             multispecies permit that would result in                   (iii) Declaration. For any such vessel             follows:
                                             a permit holder exceeding any of the                    that is not required to use VMS
                                             ownership accumulation limits                           pursuant to § 648.10(b)(4), to fish for GB            § 648.87    Sector allocation.
                                             specified in § 648.4(a)(1)(i)(N), unless                cod south of the GOM Regulated Mesh                   *      *     *      *     *
                                             authorized under § 648.4(a)(1)(i)(N).                   Area, as defined at § 648.80(a)(1), a                    (c) * * *
                                             *       *    *     *     *                              vessel owner or operator must obtain,                    (2) * * *
                                                (9) * * *                                            and retain on board, a letter of                         (i) Regulations that may not be
                                                (i) If operating under the provisions of             authorization from the Regional                       exempted for sector participants. The
                                             a limited access NE multispecies                        Administrator stating an intent to fish               Regional Administrator may not exempt
                                             Handgear A permit south of the GOM                      south of the GOM Regulated Mesh Area                  participants in a sector from the
                                             Regulated Mesh Area, as defined at                      and may not fish in any other area for                following Federal fishing regulations:
                                             § 648.80(a)(1), fail to declare the vessel              a minimum of seven consecutive days                   Specific times and areas within the NE
                                             operator’s intent to fish in this area via              from the effective date of the letter of              multispecies year-round closure areas;
                                             VMS or fail to obtain or retain on board                authorization. For any such vessel that               permitting restrictions (e.g., vessel
                                             a letter of authorization from the                      is required, or elects, to use VMS                    upgrades, etc.); gear restrictions
                                             Regional Administrator, as required by                  pursuant to § 648.10(b)(4), to fish for GB            designed to minimize habitat impacts
                                             § 648.82(b)(6)(iii).                                    cod south of the GOM Regulated Mesh                   (e.g., roller gear restrictions, etc.);
                                             *       *    *     *     *                              Area, as defined at § 648.80(a)(1), a                 reporting requirements; and AMs
                                                (ii) * * *                                           vessel owner or operator must declare                 specified in § 648.90(a)(5)(i)(D). For the
                                                (N) Act as a lessor or lessee of NE                  an intent to fish south of the GOM                    purposes of this paragraph (c)(2)(i), the
                                             multispecies DAS to or from a limited                   Regulated Mesh Area on each trip                      DAS reporting requirements specified in
                                             access permit that has been rendered                    through the VMS prior to leaving port,                § 648.82, the SAP-specific reporting
                                             unusable as specified in                                in accordance with instructions                       requirements specified in § 648.85, VMS
                                             § 648.4(a)(1)(i)(N).                                    provided by the Regional Administrator.               requirements for Handgear A category
                                             *       *    *     *     *                              Such vessels may transit the GOM                      permitted vessels as specified in
                                                                                                     Regulated Mesh Area, as defined at                    § 648.10, and the reporting requirements
                                             ■ 5. In § 648.82, revise paragraphs (b)(6)
                                                                                                     § 648.80(a)(1), provided that their gear is           associated with a dockside monitoring
                                             and (g) to read as follows:                             stowed and not available for immediate                program are not considered reporting
                                             § 648.82 Effort control program for NE                  use as defined in § 648.2.                            requirements, and the Regional
                                             multispecies limited access vessels.                    *       *    *     *     *                            Administrator may exempt sector
                                             *     *     *     *    *                                   (g) Spawning season restrictions. A                participants from these requirements as
                                               (b) * * *                                             vessel issued a valid Small Vessel                    part of the approval of yearly operations
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                                               (6) Handgear A category. A vessel                     category permit specified in paragraph                plans. For the purpose of this paragraph
                                             qualified and electing to fish under the                (b)(5) of this section, or a vessel issued            (c)(2)(i), the Regional Administrator may
                                             Handgear A category, as described in                    an open access Handgear B permit, as                  not grant sector participants exemptions
                                             § 648.4(a)(1)(i)(A), may retain, per trip,              specified in § 648.88(a), may not fish                from the NE multispecies year-round
                                             up to 300 lb (135 kg) of cod, one                       for, possess, or land regulated species or            closures areas defined as Essential Fish
                                             Atlantic halibut, and the daily                         ocean pout from March 1 through March                 Habitat Closure Areas as defined in


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                                             18716                Federal Register / Vol. 82, No. 76 / Friday, April 21, 2017 / Rules and Regulations

                                             § 648.81(h); the Fippennies Ledge Area                  recreational fishing measures;                        reduce bycatch, and/or reduce impacts
                                             as defined in paragraph (c)(2)(i)(A) of                 describing and identifying EFH; fishing               of the fishery on EFH; SAP
                                             this section; Closed Area I and Closed                  gear management measures to protect                   modifications; revisions to the ABC
                                             Area II, as defined in § 648.81(a) and (b),             EFH; designating habitat areas of                     control rule and status determination
                                             respectively, during the period February                particular concern within EFH; and                    criteria, including, but not limited to,
                                             16 through April 30; and the Western                    changes to the SBRM, including the CV-                changes in the target fishing mortality
                                             GOM Closure Area, as defined at                         based performance standard, the means                 rates, minimum biomass thresholds,
                                             § 648.81(e), where it overlaps with GOM                 by which discard data are collected/                  numerical estimates of parameter
                                             Cod Protection Closures I through III, as               obtained, fishery stratification, the                 values, and the use of a proxy for
                                             defined in § 648.81(f)(4). This list may                process for prioritizing observer sea-day             biomass may be made either through a
                                             be modified through a framework                         allocations, reports, and/or industry-                biennial adjustment or framework
                                             adjustment, as specified in § 648.90.                   funded observers or observer set aside                adjustment; changes to the SBRM,
                                             *     *      *     *      *                             programs. The PDT must demonstrate                    including the CV-based performance
                                             ■ 7. In § 648.90, revise paragraphs                     through analyses and documentation                    standard, the means by which discard
                                             (a)(2)(i) through (iii) to read as follows:             that the options it develops are expected             data are collected/obtained, fishery
                                                                                                     to meet the FMP goals and objectives.                 stratification, the process for prioritizing
                                             § 648.90 NE multispecies assessment,                                                                          observer sea-day allocations, reports,
                                                                                                        (iii) In addition, the PDT may develop
                                             framework procedures and specifications,                                                                      and/or industry-funded observers or
                                             and flexible area action system.                        ranges of options for any of the
                                                                                                     management measures in the FMP and                    observer set aside programs; and any
                                             *       *    *    *     *                                                                                     other measures currently included in
                                                (a) * * *                                            the following conditions that may be
                                                                                                     adjusted through a framework                          the FMP.
                                                (2) Biennial review. (i) At a minimum,
                                             the NE multispecies PDT shall meet on                   adjustment to achieve FMP goals and                   *      *     *     *    *
                                             or before September 30 every other year                 objectives including, but not limited to:             [FR Doc. 2017–08035 Filed 4–20–17; 8:45 am]

                                             to perform a review of the fishery, using               Revisions to DAS measures, including                  BILLING CODE 3510–22–P

                                             the most current scientific information                 DAS allocations (such as the
                                             available provided primarily from the                   distribution of DAS among the four
                                                                                                     categories of DAS), future uses for                   DEPARTMENT OF COMMERCE
                                             NEFSC. Data provided by states,
                                             ASMFC, the USCG, and other sources                      Category C DAS, and DAS baselines,
                                                                                                     adjustments for steaming time, etc.;                  National Oceanic and Atmospheric
                                             may also be considered by the PDT. The                                                                        Administration
                                             PDT shall review available data                         accumulation limits due to a permit
                                             pertaining to: Catch and landings,                      buyout or buyback; modifications to
                                                                                                     capacity measures, such as changes to                 50 CFR Part 665
                                             discards, DAS allocations, DAS use,
                                             sector operations, and other measures of                the DAS transfer or DAS leasing                       [Docket No. 160422356–7283–02]
                                             fishing effort; survey results; stock                   measures; calculation of area-specific
                                                                                                                                                           RIN 0648–XE587
                                             status; current estimates of fishing                    ACLs (including sub-ACLs for specific
                                             mortality and overfishing levels; social                stocks and areas (e.g., Gulf of Maine                 Pacific Island Fisheries; 2016 Annual
                                             and economic impacts; enforcement                       cod)), area management boundaries, and                Catch Limits and Accountability
                                             issues; and any other relevant                          adoption of area-specific management                  Measures
                                             information. The PDT may also review                    measures including the delineation of
                                             the performance of different user groups                inshore/offshore fishing practices, gear              AGENCY:  National Marine Fisheries
                                             or fleet sectors.                                       restrictions, declaration time periods;               Service (NMFS), National Oceanic and
                                                (ii) Based on this review, the PDT                   sector allocation requirements and                    Atmospheric Administration (NOAA),
                                             shall recommend ACLs for the                            specifications, including the                         Commerce.
                                             upcoming fishing year(s), as described                  establishment of a new sector, the                    ACTION: Final specifications.
                                             in paragraph (a)(4) of this section, and                disapproval of an existing sector, the
                                             develop options for consideration by the                allowable percent of ACL available to a               SUMMARY:   In this final rule, NMFS
                                             Council, if necessary, on any changes,                  sector through a sector allocation, an                specifies the 2016 annual catch limits
                                             adjustments, or additions to DAS                        optional sub-ACL specific to Handgear                 (ACLs) for Pacific Island bottomfish,
                                             allocations, closed areas, or other                     A permitted vessels, and the calculation              crustacean, precious coral, and coral
                                             measures necessary to rebuild                           of PSCs; sector administration                        reef ecosystem fisheries, and
                                             overfished stocks and achieve the FMP                   provisions, including at-sea and                      accountability measures (AMs) to
                                             goals and objectives, which may include                 dockside monitoring measures; sector                  correct or mitigate any overages of catch
                                             a preferred option. The range of options                reporting requirements; state-operated                limits. The final ACLs and AMs are
                                             developed by the PDT may include any                    permit bank administrative provisions;                effective for fishing year 2016. The
                                             of the management measures in the                       measures to implement the U.S./Canada                 fishing year for each fishery begins on
                                             FMP, including, but not limited to:                     Resource Sharing Understanding,                       January 1 and ends on December 31,
                                             ACLs, which must be based on the                        including any specified TACs (hard or                 except for precious coral fisheries,
                                             projected fishing mortality levels                      target); changes to administrative                    which begin July 1 and end on June 30
                                             required to meet the goals and                          measures; additional uses for Regular B               the following year. Although the 2016
                                             objectives outlined in the FMP for the                  DAS; reporting requirements;                          fishing year has ended for most stocks,
                                             12 regulated species and ocean pout if                  declaration requirements pertaining to                we will evaluate 2016 catches against
                                             able to be determined; identifying and                  when and what time period a vessel                    these final ACLs when data become
nlaroche on DSK30NT082PROD with RULES




                                             distributing ACLs and other sub-                        must declare into or out of a fishery                 available in mid-2017. The ACL and AM
                                             components of the ACLs among various                    management area; the GOM Inshore                      specifications support the long-term
                                             segments of the fishery; AMs; DAS                       Conservation and Management                           sustainability of fishery resources of the
                                             changes; possession limits; gear                        Stewardship Plan; adjustments to the                  U.S. Pacific Islands.
                                             restrictions; closed areas; permitting                  Handgear A or B permits; gear                         DATES: The final specifications are
                                             restrictions; minimum fish sizes;                       requirements to improve selectivity,                  effective May 22, 2017. The final


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Document Created: 2017-04-21 01:19:06
Document Modified: 2017-04-21 01:19:06
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule is effective May 22, 2017, except for the amendments to Sec. Sec. 648.82(b) and 648.87(c), which will be effective on May 1, 2017.
ContactWilliam Whitmore, Fishery Policy Analyst, phone: 978-281-9182; email: [email protected]
FR Citation82 FR 18706 
RIN Number0648-BF26
CFR AssociatedFisheries; Fishing and Reporting and Recordkeeping Requirements

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