82_FR_42501 82 FR 42329 - Atlantic Highly Migratory Species; Essential Fish Habitat

82 FR 42329 - Atlantic Highly Migratory Species; Essential Fish Habitat

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 82, Issue 172 (September 7, 2017)

Page Range42329-42337
FR Document2017-18961

NMFS announces the availability of a Final Environmental Assessment for Amendment 10 to the 2006 Consolidated Atlantic Highly Migratory Species (HMS) Fishery Management Plan (FMP). This Final Amendment updates Atlantic HMS essential fish habitat (EFH) based on new scientific evidence or other relevant information and following the EFH delineation methodology established in Amendment 1 to the 2006 Consolidated Atlantic HMS FMP (Amendment 1); updates and considers new habitat areas of particular concern (HAPCs) for Atlantic HMS based on new information, as warranted; minimizes to the extent practicable the adverse effects of fishing on EFH; and identifies other actions to encourage the conservation and enhancement of EFH. This action is necessary to comply with the EFH provisions of the Magnuson-Stevens Fishery Conservation and Management Act (Magnuson-Stevens Act), and the National Standard 2 requirement that conservation and management measures be based on the best scientific information available.

Federal Register, Volume 82 Issue 172 (Thursday, September 7, 2017)
[Federal Register Volume 82, Number 172 (Thursday, September 7, 2017)]
[Notices]
[Pages 42329-42337]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-18961]


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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

RIN 0648-XD990


Atlantic Highly Migratory Species; Essential Fish Habitat

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

ACTION: Notice of availability of Final Environmental Assessment.

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SUMMARY: NMFS announces the availability of a Final Environmental 
Assessment for Amendment 10 to the 2006 Consolidated Atlantic Highly 
Migratory Species (HMS) Fishery Management Plan (FMP). This Final 
Amendment updates Atlantic HMS essential fish habitat (EFH) based on 
new scientific evidence or other

[[Page 42330]]

relevant information and following the EFH delineation methodology 
established in Amendment 1 to the 2006 Consolidated Atlantic HMS FMP 
(Amendment 1); updates and considers new habitat areas of particular 
concern (HAPCs) for Atlantic HMS based on new information, as 
warranted; minimizes to the extent practicable the adverse effects of 
fishing on EFH; and identifies other actions to encourage the 
conservation and enhancement of EFH. This action is necessary to comply 
with the EFH provisions of the Magnuson-Stevens Fishery Conservation 
and Management Act (Magnuson-Stevens Act), and the National Standard 2 
requirement that conservation and management measures be based on the 
best scientific information available.

DATES: The amendment was approved on August 30, 2017.

ADDRESSES: Electronic copies of Final Amendment 10 to the 2006 
Consolidated HMS FMP and associated documents (including maps and 
shapefiles) may be obtained on the internet at: www.nmfs.noaa.gov/sfa/hms/documents/fmp/am10/index.html.

FOR FURTHER INFORMATION CONTACT: Jennifer Cudney or Randy Blankinship 
by phone at (727) 824-5399.

SUPPLEMENTARY INFORMATION:

Background

    The Magnuson-Stevens Act requires that Fishery Management Plans 
identify and describe EFH and, to the extent practicable, minimize the 
adverse effects on EFH caused by fishing, and to also identify other 
actions to encourage the conservation and enhancement of such habitat. 
(16 U.S.C. 1853(a)(7)). NMFS has defined EFH as waters and substrate 
necessary to fish for spawning, breeding, feeding, or growth to 
maturity (50 CFR 600.10). Federal agencies that authorize, fund, or 
undertake actions, or propose to authorize, fund, or undertake actions 
that may adversely affect EFH must consult with NMFS. In addition, if a 
Federal or State action or proposed action may adversely affect EFH, 
NMFS must provide the action agency with recommended measures to 
conserve EFH (Sec.  600.815(a)(9)). An adverse effect is defined as an 
effect that reduces quality and/or quantity of EFH. This includes 
direct or indirect physical, chemical, or biological alterations of the 
waters or substrate; loss of, or injury to species and their habitat, 
and other ecosystem components; or reduction of the quality and/or 
quantity of EFH. Adverse effects may result from actions occurring 
within EFH or outside of EFH.
    In addition to identifying EFH, NMFS or Regional Fishery Management 
Councils may designate HAPCs where appropriate. The purpose of a HAPC 
is to focus conservation efforts on localized areas within EFH that are 
vulnerable to degradation or are especially important ecologically for 
managed species. EFH regulatory guidelines encourage the Regional 
Fishery Management Councils and NMFS to identify HAPCs based on one or 
more of the following considerations (Sec.  600.815(a)(8)):
     The importance of the ecological function provided by the 
habitat;
     the extent to which the habitat is sensitive to human-
induced environmental degradation;
     whether, and to what extent, development activities are, 
or will be, stressing the habitat type; and/or,
     the rarity of the habitat type.
    In addition to identifying and describing EFH for managed fish 
species, NMFS or Regional Fishery Management Councils must periodically 
review EFH FMP components, and make revisions or amendments, as 
warranted, based on new scientific evidence or other relevant 
information (Sec.  600.815(a)(10)). NMFS commenced this review and 
solicited information from the public in a Federal Register notice on 
March 24, 2014 (79 FR 15959). The initial public review/submission 
period ended on May 23, 2014. The Draft Atlantic HMS EFH 5-Year Review 
was made available on March 5, 2015 (80 FR 11981), and the public 
comment period ended on April 6, 2015. The Notice of Availability for 
the Final Atlantic HMS EFH 5-Year Review was published on July 1, 2015 
(80 FR 37598) (``5-Year Review'').
    The 5-Year Review considered data and information regarding 
Atlantic HMS and their habitats that have become available since 2009 
that were not included in EFH updates finalized in Amendment 1 to the 
2006 Consolidated HMS FMP (Amendment 1) (June 1, 2010, 75 FR 30484); 
Final Environmental Impact Statement for Amendment 3 to the 2006 
Consolidated HMS FMP (Amendment 3) (June 1, 2010, 75 FR 30484); and the 
interpretive rule that described EFH for roundscale spearfish 
(September 22, 2010, 75 FR 57698). NMFS determined that a revision of 
Atlantic HMS EFH was warranted, and that Amendment 10 to the Atlantic 
HMS FMP should be developed in order to implement these updates. NMFS 
determined in the 5-Year Review that the method used in Amendment 1 to 
delineate Atlantic HMS EFH was still the best approach. This method was 
therefore applied to complete analyses that support the new amendment.
    On September 8, 2016, NMFS published a notice of availability of 
the Draft Environmental Assessment (EA) for Amendment 10 to the 2006 
Consolidated Atlantic HMS FMP (81 FR 62100). Draft Amendment 10 
considered all 10 components of EFH listed at Sec.  600.815(a). For 
evaluation of EFH geographic boundaries, the Draft Amendment 
incorporated new information and data that became available to the 
agency following publication of the previous EFH update (Amendment 1 to 
the 2006 Consolidated Atlantic HMS FMP in 2009). New information and 
data came from a literature and data meta-analysis completed as part of 
the recent EFH 5-Year Review, and from data and information submitted 
by NOAA scientists and the public during public comment periods. These 
data sets included sources such as fishery-independent survey data 
records collected between 2009-2014, even for species where there were 
limited or no new EFH data found in the literature review. A complete 
list of data sources and information used to update Draft Amendment 10 
is available in the Draft EA. Draft Amendment 10 used the same EFH 
delineation methodology established in Amendment 1 to update EFH 
boundaries. Draft Amendment 10 proposed alternatives to modify existing 
HAPCs or designate new HAPCs for bluefin tuna (Thunnus thynnus), and 
sandbar (Carcharhinus plumbeus), lemon (Negaprion brevisorstris), and 
sand tiger sharks (Carcharias taurus); analyzed fishing and non-fishing 
impacts on EFH through a consideration of environmental and management 
changes and new information that has become available since 2009; 
identified ways to minimize to the extent practicable the adverse 
effects of fishing activities on EFH; and identified other actions to 
encourage the conservation and enhancement of EFH.
    NMFS sought public comment on Draft Amendment 10 through December 
22, 2016. Additionally, NMFS conducted two public hearing conference 
calls/webinars for interested members of the public to submit verbal 
comments (81 FR 71076). Furthermore, NMFS presented information on 
Draft Amendment 10 to the Caribbean, Gulf of Mexico, South Atlantic, 
Mid-Atlantic, and New England Fishery Management Councils. NMFS 
received 26 unique written comments on the Draft Amendment, and 
received a number of additional comments and/or clarifying questions at 
the Atlantic HMS Advisory Panel meeting and at Council meetings.
    NMFS received multiple comments in support of the proposed updates 
to EFH

[[Page 42331]]

and for modification and/or creation of new HAPCs. Among other things, 
NMFS received comments and suggestions on the following: suggestions to 
improve EFH analysis methodology; recommendations against the 
establishment of EFH boundaries for dusky sharks north of a New England 
management demarcation line; modifications to proposed EFH updates for 
multiple shark species based on research submitted by commenters; 
modifications on the proposed extent of the bluefin tuna HAPC; and 
requests for inclusion of additional information in the EA.
    The Final Amendment modifies EFH for Atlantic HMS (Preferred 
Alternative 2). When preparing Draft Amendment 10, NMFS identified 
several new datasets and completed a comprehensive analysis of agency 
datasets that included the addition of six years of new data (2009-
2014). Additional relevant datasets were not available in time for 
inclusion in Draft Amendment 10 but have been included in the Final 
Amendment 10. These datasets contained Level 1 point data from the 
Billfish Foundation, the Southeast Area Monitoring and Assessment 
Program (SEAMAP) icthyoplankton trawl survey, the SEAMAP Acoustic/Small 
Pelagics survey, the SEAMAP Shrimp/Bottomfish survey, and the North 
Carolina Department of Natural Resources inshore gillnet/trawl survey 
data. There was additional pelagic longline observer data for white 
marlin was available following publication of Draft Amendment 10.
    Given the large number of new data points that became available 
during and following the public comment period for Draft Amendment 10, 
NMFS determined that for Final Amendment 10 it was appropriate to rerun 
models for multiple species. For example, the inclusion of SEAMAP 
Acoustic/Small Pelagic and Shrimp/Bottomfish surveys in analyses rerun 
for Final Amendment 10 added 1,533 data points for angel shark in the 
Gulf of Mexico. Inclusion of these new data points into the Kernal 
Density Estimation/95 Percent Volume Contour models resulted in minor 
modifications to the EFH boundary updates that were previously 
presented in Draft Amendment 10.
    The EFH model output generated for Final Amendment 10 was then 
subjected to robust scientific peer review and quality assurance/
quality control (QA/QC) to ensure that updates to EFH boundaries were 
sound. The use of robust scientific peer review and QA/QC after models 
are developed and EFH boundaries are derived from the 95 percent 
probability boundary is consistent with provisions of the Magnuson-
Stevens Act section 305(b)(1)(A). For example, Councils or NMFS may 
describe, identify, and protect habitats of managed species that are 
beyond the EEZ; however, such habitat may not be considered EFH for the 
purposes of the requirements under sections 303(a)(7) and 305(b) of the 
Magnuson-Stevens Act (Sec.  600.805(a)(2)). Given these aspects of the 
EFH regulations, the 95 percent probability boundary derived from 
models is clipped, or made to match, the seaward EEZ boundary, 
depending on where the overlap occurred. Based on the recommendations 
of NMFS scientists in the Northeast and Southeast Fisheries Science 
Centers, and in cases where it made biological sense, NMFS clipped 
polygons to specified features or areas (e.g., bathymetric (depth) 
contours (isobaths), the continental shelf break, Chesapeake Bay, 
shorelines). This reflects the known information about these species' 
habitats. In Final Amendment 10, NMFS provides additional 
clarifications on the process for QA/QC and scientific peer review 
considerations of model output (see Appendix F of the EA, see ADDRESSES 
above for instructions on how to view/locate the Final EA). Similarly, 
NMFS also added a more recently updated definition of shark nursery 
areas in Final Amendment 10 based on the discussion presented in Heupel 
et al. (2007) to assist in identifying habitats that were considered 
necessary for neonate/YOY and juvenile life stages of sharks (EFH 
definition) and/or may have been rare or played a particularly 
important ecological role (per HAPC criteria) (see Comments 15 and 16 
below; see Appendix F of the EA, see ADDRESSES above for instructions 
on how to view/locate the Final EA).
    Final Amendment 10 modifies the HAPC for bluefin tuna (Preferred 
Alternative 3b) and sandbar shark (Preferred Alternative 4b) from that 
established in Amendment 1 to the 2006 Consolidated HMS FMP. New 
literature published by Muhling et al. (2010) suggests moderate (20-40 
percent) probabilities of collecting larvae in areas of the eastern 
Gulf of Mexico that are not completely covered by the existing HAPC. 
Based on this information, Final Amendment 10 extends the HAPC for the 
Spawning, Eggs, and Larval life stage in the Gulf of Mexico from its 
current boundary of 86[deg] W. longitude (long.), eastward to 82[deg] 
W. long. The HAPC extends from the 100-meter isobath to the EEZ, and is 
based on the distribution of available data and recommendations from 
the SEFSC during QA/QC review. Final Amendment 10 also adjusts the 
neonate/YOY sandbar shark HAPC established in the 1999 FMP for Atlantic 
Tunas, Swordfish, and Sharks such that it is consistent with updates to 
EFH (Preferred Alternative 2b) in coastal North Carolina, Chesapeake 
Bay, and Delaware Bay for this life stage. The sandbar shark EFH 
changes include incorporation of additional area in Delaware Bay and 
Chesapeake Bay to reflect updated EFH designations, and adjustment of 
the HAPC around the Outer Banks of North Carolina to remove areas in 
Pamlico Sound. The HAPC for sandbar shark designated in 1999 is outside 
the geographic boundaries of the most recent EFH designation (Amendment 
1) for sandbar shark. This alternative would therefore adjust the 
boundaries of the HAPC so that it is contained within the geographic 
boundaries of the sandbar shark EFH.
    Amendment 10 also creates new HAPCs for juvenile and adult lemon 
sharks (Preferred Alternative 5b) off southeastern Florida between Cape 
Canaveral and Jupiter inlet and for sand tiger shark (Preferred 
Alternative 6b) in Delaware Bay (all life stages) and the Plymouth, 
Kingston, Duxbury (PKD) Bay system in coastal Massachusetts (neonate/
YOY and juveniles). These HAPCs were proposed in the Draft Amendment 
10. The new HAPC for juvenile and adult lemon sharks is based upon 
tagging studies and public comments received that expressed concern 
about protection of habitat in locations where aggregations of lemon 
sharks are known to occur. The two new sand tiger shark HAPCs are based 
on data collected by the NEFSC, Haulsee et al. (2014 and 2016), and 
Kilfoil et al. (2014) indicating that Delaware Bay constitutes 
important habitat for sand tiger sharks.

Response to Comments

    NMFS received 26 unique written comments from fishermen, council 
members, states, environmental groups, academia and scientists, and 
other interested parties on the Draft EA during the public comment 
period. Comments included submissions of 17 form letters that were 
identical or similar to comments provided by organizations. We also 
received comments from fishermen, states, and other interested parties 
at Council meetings, Atlantic HMS Advisory Panel meetings, and at two 
public conference calls/webinars. All written comments can be found at 
http://www.regulations.gov.

[[Page 42332]]

    Comments are summarized below by major topic together with NMFS' 
responses.
    1. Draft EA Content (Comments 1-2),
    2. EFH Methodology (Comments 3-5),
    3. Bluefin Tuna EFH Boundary Designations (Comments 6-9),
    4. Bluefin Tuna HAPC Alternative (Comments 10-11),
    5. Shark EFH Boundary Designations (Comments 12-16),
    6. Sandbar Shark HAPC Alternative (Comment 17),
    7. Lemon Shark HAPC Alternative (Comments 18-20),
    8. Sand Tiger Shark HAPC Alternative (Comments 21-22),
    9. Other Comments (Comment 23), and
    10. Research and Restoration (Comments 24-26).

Comments by Subject

1. Draft EA Content

    Comment 1: NMFS received several comments on the content of the 
Draft EA, requesting information confirming the importance of habitat 
associations, seasonality of peak EFH utilization, and a rationale for 
the changes in EFH made between Amendment 1 and Draft Amendment 10.
    Response: Habitat association and seasonality information, based on 
available scientific literature, have been included in both the Life 
History reviews and EFH Text Descriptions for Atlantic HMS species (see 
Chapter 6 of the Final EA). If appropriate, NMFS may develop products, 
such as GIS maps depicting peak seasonal use of EFH by region in the 
future. A rationale for the changes in EFH between Amendment 1 and 
those established by Final Amendment 10 is included for each species, 
where applicable, following EFH Text Descriptions in Chapter 6 of the 
EA.
    Comment 2: NMFS should provide online access to the shapefiles and 
maps of non-preferred alternatives.
    Response: Shapefiles and maps depicting preferred alternative EFH 
and HAPC boundaries, and maps showing the extent of non-preferred HAPC 
alternatives, may be downloaded at the following Web site: http://www.nmfs.noaa.gov/sfa/hms/documents/fmp/am10/index.html. NMFS did not 
make available shapefiles or maps of the non-preferred EFH boundary 
alternative (i.e., status quo) on the Amendment 10 Web site to reduce 
confusion between what EFH designations are currently in effect and 
what is being considered in this amendment. Shapefiles representing the 
previous EFH revision exercise, which reflect the status quo--no action 
alternative in Draft Amendment 10, are available on the Web site for 
Amendment 1 to the 2006 Consolidated Atlantic HMS FMP.

2. EFH Methodology

    Comment 3: Preferred Alternative 2, which updates all Atlantic HMS 
EFH designations using the methodology established under Amendment 1, 
is appropriate.
    Response: NMFS concurs that it is appropriate to update Atlantic 
HMS EFH using new data collected since 2009 and the methodology 
established under Amendment 1. Review and updates of Atlantic HMS EFH 
are consistent with the EFH provisions of the Magnuson-Stevens Act and 
National Standard 2 (i.e., that conservation and management measures be 
based on the best scientific information available). During the 5-Year 
Review process, NMFS evaluated 11 different approaches used to assess 
EFH by the Agency or published in the literature, and determined that 
the methodology established under Amendment 1 remained the best 
approach to update Atlantic HMS EFH.
    Comment 4: NMFS should consider designations of EFH by depth 
(surface, middle, and bottom) where appropriate and if there is 
scientific information that supports such a designation.
    Response: EFH text descriptions (see Chapter 6 of the EA) include 
references to depth where appropriate based on best available 
scientific information. EFH delineation in other sections of the water 
column could be useful in Habitat Consultations; however, information 
describing vertical distribution and habitat utilization in the water 
column are not available for all Atlantic HMS species in the 
literature. While NMFS did not specifically request vertical depth data 
from the public during the 5-Year Review and Draft Amendment comment 
periods, NMFS generally requested information on relevant EFH data and 
ideas for delineation methods and no data on vertical depth 
distribution data were submitted. NMFS may explore new models and 
approaches in the future, and at that time, could evaluate the 
feasibility of designating EFH vertically through the water column for 
Atlantic HMS.
    Comment 5: The methods used to delineate EFH may bias results. 
Sampling intensity can affect the observed density, particularly for 
larvae, as well as for determining the distribution of other species, 
which impacts EFH designations. In those cases, EFH becomes a function 
of data availability, not a function of animal behavior.
    Response: The current approach to designating EFH uses an 
unweighted model that delineates contour intervals around data points; 
therefore, the models are influenced by sampling intensity, the spatial 
distribution of data, and data availability. Several Atlantic HMS 
species are data-poor, and the available datasets may provide data 
points that are clustered in space or time based on the extent of 
sampling. NMFS may explore alternative models and approaches in the 
future, if appropriate, that better account for the spatial 
distribution of available data and other biases that may influence 
results.

3. Bluefin Tuna EFH Boundary Designations

    Comment 6: NMFS received comments both supporting and not 
supporting the inclusion of the Slope Sea into the bluefin tuna EFH for 
the Spawning, Eggs, and Larval life stage. Some commenters supported 
the inclusion of Slope Sea spawning areas into EFH designations for 
this life stage because this reflects the best available scientific 
information. Other commenters voiced opposition to including EFH for 
bluefin tuna larvae areas outside the Gulf of Mexico, stating that the 
designation of EFH cannot be justified based on current scientific 
knowledge. Specifically, commenters had concerns about limited sample 
sizes in space and time across the Slope Sea. As discussed in Comment 
24 below, commenters asked that NMFS encourage additional research on 
the Slope Sea.
    Response: During preparation of Draft Amendment 10, NMFS identified 
relevant research by Richardson et al. (2016) that included 67 data 
points where larval bluefin tuna were collected in the Slope Sea. Those 
data points were used as information input for the model. Despite the 
small sample size associated with Richardson et al. 2016, the number 
and distribution of data points were sufficient to meet or exceed model 
thresholds for inclusion in the 95 percent volume contour. Since model 
results included the Slope Sea areas as part of the EFH for the bluefin 
tuna Spawning, Eggs, and Larval life stage, NMFS is retaining the Slope 
Sea area as EFH but is also encouraging additional research on these 
habitats (see Chapter 7 of the EA) and Comment 24 below.
    Comment 7: Several commenters expressed concerns about management 
implications of identifying Spawning, Eggs, and Larval EFH in areas 
outside of the Gulf of Mexico given that current ICCAT management 
recommendations

[[Page 42333]]

stipulate that the United States should not permit directed fishing on 
bluefin tuna in spawning areas.
    Response: The relative importance of the Slope Sea bluefin tuna 
spawning, eggs and larval EFH to the stock is unclear at this time, 
however the EFH model results included the Slope Sea as part of the EFH 
for the bluefin tuna Spawning, Eggs, and Larval life stage because the 
distribution of data points met the model's threshold for inclusion in 
the 95 percent volume contour. ICCAT's Standing Committee on Research 
and Statistics (SCRS) has noted that hypotheses concerning the Slope 
Sea's importance as a spawning area still need to be tested (ICCAT 
2016, http://iccat.int/Documents/Meetings/Docs/2016_BFT_DATA_PREP_ENG.pdf). Furthermore, there are a number of 
concerns about the conclusions drawn by the Richardson et al. (2016) 
paper concerning sample size, larval data corrections, variance in 
data, and conclusions about early maturation (e.g., Walter et al. 
2016). The SCRS has recommended additional research be conducted to 
address these concerns and, at this time, the Slope Sea has not been 
recognized by ICCAT as western Atlantic spawning grounds. As additional 
information on the relative importance of the Slope Sea and if 
recognition as spawning grounds becomes available, NMFS will consider 
that information in developing or advocating for appropriate domestic 
and international measures.
    Comment 8: In concert with accepting Preferred Alternative 3b 
(Expand HAPC eastward), NMFS should, at a minimum, expand adult bluefin 
EFH to include the entire HAPC boundary.
    Response: Model results did not include the entire Gulf of Mexico 
into the EFH boundaries of adult bluefin tuna. Expansion of adult 
bluefin EFH eastward in the Gulf of Mexico to encompass all areas of 
the bluefin spawning, eggs, and larval life stage HAPC, would add only 
an additional 25 locations (+ ~2 percent of data points in the Gulf of 
Mexico). PSAT tagging data suggest that adult bluefin tuna migrate 
through this area, but do not utilize it as heavily as other areas of 
the central and western Gulf of Mexico (e.g., Wilson et al. 2015; see 
Figure 6.1, Section 6.2.3 of the Amendment 10 EA, see ADDRESSES above 
for instructions on how to view/locate the Final EA). As previously 
mentioned, the intent of EFH is not to delineate all areas where the 
species is known to occur, but rather the areas that are necessary for 
spawning, breeding, feeding, or growth to maturity. Therefore, NMFS has 
not modified the EFH designation for adult bluefin EFH to include the 
entire eastern GOM.
    Comment 9: NMFS should incorporate the migratory corridor to the 
Gulf of Mexico as adult EFH, rather than stopping abruptly off the 
coast of North Carolina, most importantly including the waters around 
the Charleston Bump where tagging studies have shown adult bluefin feed 
(Wilson et al. 2015).
    Response: Examination of PSAT tagging data (see Figure 6.1, Section 
6.2.3) implies that tagged bluefin tuna may heavily use pelagic 
habitats ranging from coastal North Carolina to areas north and east of 
the Bahamas. Data available for EFH analyses also indicate that pelagic 
habitats of the Blake Plateau are necessary habitat for adult Bluefin 
tuna. Therefore, based on further review of available data, NMFS 
adjusted the boundaries of adult bluefin EFH to include some of the 
areas recommended by the commenter. However, it is important to note 
that EFH designations are designed to focus attention on those habitats 
necessary for feeding, breeding, spawning, or growth to maturity. 
Migration routes, while important in their own right, are not within 
the scope of EFH as defined under NMFS' regulations.

4. Bluefin Tuna HAPC Alternative

    Comment 10: NMFS should accept Preferred Alternative 3b to expand 
the bluefin tuna HAPC in the Gulf of Mexico, as it meets all four 
considerations for a HAPC pursuant to Sec.  600.815(a)(8).
    Response: NMFS agrees that Preferred Alternative 3b is warranted 
based on the application of the HAPC criteria to the current body of 
scientific literature. Therefore, NMFS has expanded the current HAPC 
for the bluefin tuna Spawning, Eggs, and Larval life stage as provided 
under this alternative.
    Comment 11: NMFS should designate or include the Slope Sea, newly 
discovered bluefin tuna spawning habitat, as a HAPC.
    Response: A HAPC designation for a particular habitat must be based 
on one of four criteria: The importance of the ecological function 
provided by the habitat; the extent of sensitivity to human induced 
environmental degradation; whether, and to what extent, development 
activities are or will be stressing the habitat type; and the rarity of 
the habitat type. Whether the Slope Sea satisfies these criteria for 
bluefin tuna is unknown and research to better understand the role of 
this area as a spawning ground and other habitats for the species 
continue. Given the limited sample size to date, it is difficult to 
determine the importance of the ecological function provided by the 
Slope Sea for the western Atlantic bluefin stock. Additional sampling 
and research are also needed in order to effectively evaluate all HAPC 
criteria. The number of data points are fairly small and are limited 
temporally; therefore, it is difficult to delineate boundaries for an 
effective HAPC at this time.

5. Shark EFH Boundary Designations

    Comment 12: Dusky sharks do not occur in New England waters. NMFS 
should establish a north/south demarcation line off New England where 
appropriate measures to reduce dusky shark mortality and protect dusky 
shark EFH could be implemented in areas south of the demarcation line. 
Eighteen copies of a form letter suggested that dusky shark EFH should 
be moved to waters south of New England and/or Montauk, NY. Other 
commenters supported designation south of an area known as ``The Dump'' 
(approximately 75 km east and slightly south of Montauk), or 
designation south of a line extending eastward from Shinnecock, NY 
(40[deg]50'25'' N. latitude).
    Response: Most of the data points collected for the EFH modeling 
exercise were located south of the Gulf of Maine, and therefore NMFS 
agrees it was not appropriate to include Gulf of Maine habitats in the 
proposed updates to EFH boundaries that were included in Draft 
Amendment 10. The available data and historical information from the 
scientific literature indicate that dusky sharks do occur in southern 
New England waters. The dusky shark EFH boundaries included in Draft 
Amendment 10, and the data used in the EFH models considered in Draft 
Amendment 10, reflect data points that are located offshore of southern 
New England (i.e., south of the southern coast of Long Island, 
Nantucket, and Martha's Vineyard) and along the southern edge of 
Georges Bank and the continental shelf. However, the proposed EFH 
boundaries in Draft Amendment 10 for dusky sharks also included some 
inshore areas in Narragansett Bay, near coastal Rhode Island, and areas 
adjacent to southeastern Massachusetts. In consideration of public 
comments received and review of life history information and 
distribution data on dusky sharks, NMFS determined that minor 
adjustments to EFH boundary designations to remove some nearshore 
coastal areas of southern New England were appropriate. For example, 
model output published in Draft Amendment 10 as EFH for dusky sharks 
included Narragansett Bay and parts of Buzzards Bay, however, the 
salinity of these areas

[[Page 42334]]

is generally considered to be too low for dusky sharks (C. McCandless, 
pers. comm, NOAA NEFSC). Parts of Vineyard Sound, Rhode Island Sound, 
Block Island Sound, and Nantucket Sound were also included, likely as a 
result of their proximity to a larger cluster of data points located 
further south and offshore. Generally, dusky sharks are collected in 
scientific surveys further offshore (C. McCandless, pers. comm, NOAA 
NEFSC). Therefore, in response to public comment and based on further 
review of the best available biological information, the EFH boundary 
designations for dusky shark have been revised to exclude these coastal 
areas.
    Commenters also advocated for the use of a north/south demarcation 
line to be used for management measures that would reduce dusky shark 
mortality and to implement EFH. Under the current modeling method, EFH 
boundaries are based on the distribution and availability of point 
data, which provide empirical evidence that the habitat is important 
for feeding, breeding, spawning or growth to maturity. While landmarks 
or features can be used as representations to describe the extent of 
current EFH, they must take into account the specific locations of a 
species' habitat. Available data and the models developed using the 
current EFH delineation methodology suggested that some areas north and 
east of Montauk and Shinnecock NY or ``the Dump'' should be included 
within the EFH Boundaries. NMFS has described these locations within 
the EA.
    Comment 13: NMFS should adjust its EFH boundaries to encompass 
highly suitable habitats for great hammerhead and tiger sharks as 
predicted from habitat suitability modeling. The updates to EFH 
boundaries proposed by NMFS in Draft Amendment 10 are consistent with 
habitat suitability modeling for bull sharks.
    Response: NMFS compared the areas of high habitat suitability to 
data available for EFH analyses and found that, in general, the 
adjustment of EFH based on habitat suitability models is inconsistent 
with the approach used by NMFS in Amendment 10 because certain areas 
that were deemed highly suitable by the commenter contained little to 
no empirical point data. Rather the identification of highly suitable 
habitat was based on the confluence of certain environmental 
characteristics that was predicted to create a more favorable habitat 
for that species. The intent of EFH is not to delineate all areas where 
the species is known to occur, but rather areas that are necessary to a 
species spawning, breeding, feeding, and growth to maturity. The 
current methodology assumes a relationship between the presence and 
density of points and the presence of EFH, and does not at this time 
incorporate a predictive aspect based on environmental variables. NMFS 
may explore alternative models and approaches for the next revision of 
EFH and, at that time, would evaluate the feasibility of incorporating 
habitat suitability modeling approaches (such as those put forward by 
this commenter) into the delineation of EFH, if appropriate.
    Comment 14: Maps and data pertaining to drumline surveys conducted 
between 2008-2015 by the University of Miami Shark Research and 
Conservation Lab suggest that areas with high catch rates in northern 
Biscayne Bay (between Elliot Key and Key Biscayne) should have been 
included in updates to EFH for blacktip sharks. NMFS should expand the 
EFH proposed in Draft Amendment 10 to include these areas. Areas with 
highest nurse, lemon, and sandbar shark CPUE are already contained 
within the proposed updates to EFH boundaries. NMFS should finalize the 
EFH boundary adjustments included in Draft Amendment 10 for these 
species.
    Response: NMFS agrees that areas identified for blacktip, nurse, 
lemon, and sandbar shark EFH off South Florida are necessary habitats 
for these species, and it is therefore appropriate to include these 
areas in the EFH boundaries that would be finalized under Amendment 10. 
Blacktip sharks are managed regionally, with a demarcation line 
separating the Gulf of Mexico and Atlantic shark stocks at 25[deg]20.4' 
N. latitude. In response to public comment and in consultation with the 
NEFSC and SEFSC, NMFS determined that adjustments to the EFH boundaries 
for the Atlantic stock of blacktip sharks were appropriate and, in 
Final Amendment 10, extended the southern extent of juvenile and adult 
EFH boundaries southward along the Florida east coast to 25[deg]20.4' 
N. latitude (which includes northern Biscayne Bay). Similarly, NMFS 
determined that the Gulf of Mexico stock boundary needed to be moved 
south along the Florida coast to terminate at the 25[deg]20.4' N. 
latitude stock demarcation line in order to be consistent with the 
management extent for this stock (it previously extended north of this 
line).
    Comment 15: NMFS should adjust EFH boundaries to include portions 
of Pamlico Sound, Core Sound, Back Sound, and other inshore coastal 
waters for juvenile and adult blacktip sharks, neonate/YOY and juvenile 
bull sharks, neonate/YOY and juvenile sandbar sharks, juvenile and 
adult blacknose sharks, neonate/YOY and adult Atlantic sharpnose 
sharks, and all life stages of smooth dogfish based on data from the 
annual North Carolina Division of Marine Fisheries (NC DMF) gillnet and 
longline survey and from research on delineation of coastal shark 
habitat within coastal North Carolina waters using acoustic telemetry, 
fishery-independent surveys, and local ecological knowledge (Bangley 
2016).
    Response: The information and data referenced in this comment, NC 
DMF gillnet and longline survey data and data from Bangley 2016, 
provided NMFS an opportunity to evaluate Atlantic HMS nursery habitat 
utilization in inshore and coastal North Carolina waters. As noted in 
Heupel et al. (2007), ``the use of the term `shark nursery area' by a 
wide array of scientists, resource managers and conservationists 
appears to be inconsistent and lacks proper scientific analysis and 
justification. In some cases regions are labeled shark nursery areas 
simply because of the presence of a few juvenile sharks . . . [which] 
threatens to undermine the importance of protecting EFH by potentially 
identifying all coastal waters as shark nursery areas.'' Due to 
inconsistent use of the term ``nursery area'' across the scientific 
community and concerns identified in Heupel et al. 2007), NMFS now 
prefers to apply the definitions laid out in Heupel et al. 2007 to 
identify habitats in which: (1) Sharks are more commonly encountered in 
these areas versus other areas; (2) sharks remain or return to these 
areas for extended periods of time (i.e., site fidelity that is greater 
than mean fidelity to all sites across years); and (3) the habitat is 
repeatedly used across all years, whereas others are not. The annual 
mean number of neonate/YOY bull, sandbar, and blacktip sharks was small 
(e.g., approximately 5 bull and sandbar sharks per year, 9 blacktip 
sharks per year) and not consistent from year to year. Additionally, 
the survey with the longest timespan, NC DMF, had no supporting data 
for these species in Back and Core Sounds.
    Although some acoustic data are available (n = 1 blacktip and 3 
blacknose sharks), a bigger sample size would be needed to establish 
residency patterns of individuals and demonstrate site fidelity through 
time for these species in inshore North Carolina waters. The NC DMF 
dataset also contained only one blacknose shark, and therefore does not 
provide a scientifically sufficient means to analyze habitat 
utilization and potential EFH. NMFS had very few data points for

[[Page 42335]]

juvenile and adult blacktip sharks (n = 23 out of 6,383) and adult 
blacknose sharks (n = 2) in Pamlico, Core, and Back Sound.
    A larger number of smoothhound and Atlantic sharpnose shark records 
were noted in areas of Pamlico Sound closer to the inlets of the Outer 
Banks, and the model results supported keeping EFH in these areas as 
proposed. However, the NC DMF dataset did not include any Atlantic 
sharpnose or smoothhound shark data points for Core Sound or Back 
Sound, and the number of data points from the Bangley (2016) dataset in 
these locations were also small (n = 33 Atlantic sharpnose sharks and 
10 smooth dogfish) so these are excluded for these species and life 
stages. Many of the habitats identified near inlets as potentially 
important may reflect a temporary condition that is tolerable to these 
animals as they follow schools of baitfish to feed; however, these 
conditions are temporary as the tides change. Bangley (2016) analyzes 
data with respect to distance to inlets and salinity, however, it does 
not consider tidal influence on the creation of temporary habitat 
through the presence of prey schools responding to tidal fluctuations. 
Therefore, NMFS encourages additional research to further evaluate 
these areas as nursery habitat per the definitions outlined in Heupel 
et al. 2007 (see Section 7.1.6 of the Final Environmental Asessement, 
which discusses HMS Research Needs), but has not designated Pamlico, 
Core, and Back Sounds as EFH for blacktip, sandbar, and bull sharks; or 
Core and Back Sounds as EFH for Atlantic sharpnose sharks and smooth 
dogfish. NMFS may evaluate inshore areas of coastal North Carolina for 
inclusion in these species' EFH boundaries in the future if more data 
become available.
    Comment 16: Neonate/YOY and juvenile sandbar sharks are among the 
most common coastal sharks captured in NC DMF gillnet and longline 
surveys conducted in the spring and fall. NMFS should adjust EFH 
boundaries for sandbar shark to include portions of Pamlico Sound based 
on a dissertation (Bangley 2016) that suggested coastal North Carolina 
habitats, including Pamlico Sound, may be primary and secondary nursery 
habitats for multiple shark species, including sandbar shark.
    Response: Using NC DMF gillnet and longline survey data,and the 
data presented in Bangley (2016), NMFS assessed whether the information 
provided by the commenter supported inclusion of these habitats into 
neonate/YOY EFH boundaries as nursery areas which are necessary for 
feeding and growth to maturity. Due to inconsistent use of the term 
``nursery area'' across the scientific community and the contention of 
Heupel et al. (2007) that ``the occurrence of juvenile sharks in an 
area is insufficient evidence to proclaim it a nursery'', NMFS now 
prefers to apply the definitions laid out in Heupel et al 2007 to 
identify habitats in which (1) sharks are more commonly encountered in 
these areas versus other areas; (2) sharks remain or return to these 
areas for extended periods of time (i.e., site fidelity that is greater 
than mean fidelity to all sites across years); and (3) the habitat is 
repeatedly used across all years, whereas others are not. NC DMF data 
indicate that, while these species are caught consistently between 
years in Pamlico Sound, the numbers of data points tend to be low 
compared to areas seaward of the Outer Banks. Additional research is 
needed to indicate an elevated degree of dependency, site fidelity, and 
utilization of these habitats compared to nearshore habitats that are 
seaward of the Outer Banks before they should be included within EFH 
boundaries per the rationale that they are ``nursery areas''.

6. Sandbar HAPC Alternative

    Comment 17: NMFS should implement Alternative 4a (No Action 
Alternative) in concert with recommendations for Alternative 2 (see 
comments 15 and 16 above), which would update existing EFH designations 
and include an expansion of sandbar neonate/YOY and juvenile EFH into 
estuarine waters of North Carolina to protect nursery habitats.
    Response: As discussed in Comments 15 and 16, there was a small 
number of data points available on neonate/YOY and juvenile sandbar 
sharks from the datasets and information referenced in this public 
comment (NC DMF inshore gillnet and trawl data, and Bangley 2016). NOAA 
scientists from the SEFSC and NEFSC recommended that Pamlico Sound not 
be included in neonate/YOY EFH or that a HAPC for this life stage be 
retained in inshore North Carolina waters because insufficient data was 
available to compare the spatial and temporal utilization of these 
habitats with adjacent habitats, which are critical aspects of athe the 
nursery area definition outlined in Heupel et al. 2007. Therefore, 
updates to EFH finalized in this Amendment do not include inshore 
coastal waters of North Carolina (i.e., Pamlico Sound). The commenter 
recommends accepting the No Action Alternative, which would retain HAPC 
boundaries in Pamlico Sound. Since a HAPC must be nested within updated 
EFH, and the updated EFH for sandbar shark does not include Pamlico 
Sound, it would be inconsistent with NMFS' regulations that implement 
the EFH provisions of the Magnuson-Stevens Act to retain the current 
boundaries of the Sandbar HAPC. NMFS will continue to evaluate inshore 
areas of Pamlico Sound for EFH or HAPC inclusion as more data becomes 
available.

7. Lemon Shark HAPC Alternative

    Comment 18: NMFS received three comments (including one from the 
Florida Fish and Wildlife Conservation Commission) in support of 
Preferred Alternative 5b, the proposed lemon shark HAPC that spans from 
Cape Canaveral to Jupiter Inlet. Commenters indicated that the HAPC is 
needed and well placed, and could provide additional protection for 
Southeastern Florida lemon shark aggregations. Other commenters 
indicate that this alternative is most appropriate based on available 
tagging and genetic research that identifies the importance of 
aggregation sites and migration pathways contained within the proposed 
HAPC.
    Response: NMFS agrees that the proposed HAPC is the most 
appropriate alternative given independent research conducted by 
multiple institutions that confirm the areas are rare aggregation sites 
of unique importance (i.e., thermal refugia, nursery grounds for 
juveniles, resting/feeding grounds for adults) for lemon shark 
populations off the southeastern United States. Tagging and genetic 
studies also support the inclusion of habitats in between the two 
aggregation sites into the HAPC. These areas are adjacent to a region 
with extremely high population density, and are thus subject to 
potential environmental degradation and development activities.
    Comment 19: NMFS should not create a HAPC for lemon sharks. NMFS 
should apply the HAPC criteria strictly for this area, and not 
designate a HAPC as a response to pressure the agency has received to 
curtail fishing activity in the area.
    Response: As part of EFH designations for lemon sharks, NMFS 
considered whether those areas should include HAPCs based on the 
criteria for HAPC specification under 600.815(a): The importance of the 
ecological function provided by the habitat, the extent that the 
habitat is sensitive to human induced environmental degradation, the 
extent that development activities are or could be stressing the 
habitat type, and the rarity of the habitat type. A HAPC was included 
in the Final Amendment based on these analyses, as triggered by the

[[Page 42336]]

identification of scientific papers (e.g., Reyier et al. 2012; Kessel 
et al. 2014, Reyier et al. 2014) that indicated there was scientific 
evidence that habitats and areas had an important ecological function, 
were adjacent to highly populated areas and therefore susceptible to 
human use or degradation, and were rare aggregation sites for this 
population of lemon sharks.
    Comment 20: One commenter expressed concern that a HAPC designation 
for lemon sharks would open the door for new regulations to be 
implemented in the area.
    Response: The purpose of identifying HAPCs is to focus conservation 
efforts on localized areas within EFH that are vulnerable to 
degradation or are especially important ecologically for managed fish. 
HAPCs can also be used to target areas for area-based research. HAPCs 
are not required to have any specific management measures. However, 
such measures may need to be considered to achieve the stated goals and 
objectives of the HAPC. Public comment reflected concern for the status 
of populations of lemon sharks off Southwest Florida. Identification of 
a HAPC, or variations in abundance or even a change in stock status of 
a species for which a HAPC is identified does not, by itself, trigger 
an EFH rulemaking. Rather, an EFH rulemaking is triggered by a 
verifiable adverse effect on habitat from a fishing or non-fishing 
activity. The EFH provisions of the Magnuson-Stevens Act specify that 
FMPs must minimize to the extent practicable adverse effects of fishing 
on EFH, and that Councils (and NMFS) must act to prevent, mitigate, or 
minimize any adverse effects from fishing, to the extent practicable, 
if there is evidence that a fishing activity adversely affects EFH in a 
manner that is more than minimal and not temporary in nature 
(600.815(a)(2)(ii). If sufficient evidence became available to suggest 
that fishing activity adversely affects EFH in a manner that is more 
than minimal and not temporary in nature, NMFS would provide 
notification to the public of any regulations associated with EFH or 
the HAPCs in a future rulemaking.

8. Sand Tiger HAPC Alternative

    Comment 21: NMFS should implement Preferred Alternative 6b to 
update EFH, as Delaware Bay and the PKD bay system have been found to 
be important habitats for sand tiger sharks.
    Response: Data collected by the NEFSC via the Cooperative Atlantic 
States Shark Pupping and Nursery (COASTSPAN) survey and scientific 
research published by Haulsee et al. (2014 and 2016), Kilfoil et al. 
(2014), Kneebone et al. (2012 and 2014) suggest that the habitats meet 
several HAPC criteria (e.g., ecological function provided by the 
habitat--discrete and relatively rare nursery areas and adult 
aggregation sites, published concerns about development and 
environmental degradation). NMFS therefore agrees that it is 
appropriate to establish HAPCs in Delaware Bay and the PKD bay system.
    Comment 22: NMFS should consider a HAPC designation in the western 
end of New York's Great South Bay since it has been discovered to be an 
important nursery ground for sand tiger sharks. Tagging studies show 
strong juvenile interannual site fidelity, that the area is only used 
by juveniles, and the area is located in a heavily populated area of 
New York that is susceptible to human induced habitat degradation.
    Response: NMFS was unable to obtain data associated with a 
potential nursery in Great South Bay, NY. One commenter, who was not a 
data author, provided a point of contact associated with the New York 
Aquarium that have initiated research on sand tiger sharks in Great 
South Bay and several newspaper and gray literature articles. The data 
author submitted a comment with recommendations, but did not provide 
data associated with the comment. NMFS staff attempted to communicate 
with the data author multiple times by phone and email between October 
2016 and January 2017, however the data author/commenter ultimately did 
not provide information or data to NMFS that would allow NMFS to 
further evaluate the assertion that Great South Bay habitat met the 
HAPC criteria. Therefore, NMFS has not delineated a HAPC for sand tiger 
sharks in this area at this time.

9. Other Comments

    Comment 23: There is a white shark nursery off Long Island. NMFS 
should protect young white sharks in this area.
    Response: In Draft Amendment 10, NMFS considered a potential HAPC 
in the northern Mid-Atlantic and off southern New England for neonate/
YOY and juvenile white sharks. In particular, Curtis et al. (2014) 
noted that a large number of YOY shark observations occurred between 
Great Bay, NJ and Shinnecock Inlet, NY. Depth and temperature 
associations were provided in this paper for YOY and juveniles; 
however, this report alone was not enough to support any one HAPC 
criterion. For this final amendment, NMFS examined additional data and 
literature that might support HAPC designation; however, the findings 
were insufficient to identify a discrete area that meets the criteria 
for a HAPC. The area identified by the commenter is already included as 
part of the EFH for neonate/YOY white sharks; therefore, impacts on EFH 
would be considered as part of Habitat Consultations in the future.

10. Research and Restoration

    Comment 24: Additional research is needed to evaluate the Slope Sea 
as a potential bluefin tuna spawning site, the parentage of bluefin 
tuna larvae on the Slope Sea, and the relative magnitude of spawning in 
this area compared to other known spawning grounds.
    Response: NMFS has included these as high priority items in the 
Research Needs chapter of Final Amendment 10. Additionally, in June of 
2017, the Northeast Fisheries Science Center sponsored a cruise on NOAA 
vessel Gordon Gunter to conduct research on Slope Sea larval fish 
populations (specifically, bluefin tuna).
    Comment 25: Ongoing monitoring is prudent to ensure that there is 
no change in the distribution of dusky sharks or other species due to 
climatic shift.
    Response: In 2014, NMFS published the Atlantic HMS Management-Based 
Research Needs and Priorities document. The document contains a list of 
near- and long-term research needs and priorities that can be used by 
individuals and groups interested in Atlantic HMS to identify key 
research needs, improve management, reduce duplication, prioritize 
limited funding, and form a potential basis for future funding.
    The priorities range from biological/ecological needs to 
socioeconomic needs and the document can be found at: http://www.nmfs.noaa.gov/sfa/hms/documents/hms_research_priorities_2014.pdf. 
The Research Needs and Priorities document, along with feedback 
gathered on the Final Atlantic HMS EFH 5-Year Review and Draft 
Amendment 10 from the public and the scientific research community was 
used to develop a list of research priorities that would support future 
HMS EFH designation and protection in Chapter 7 of the Amendment 10 
Final EA. These research priorities are further characterized as high, 
medium, or low priority depending upon the needs identified by the 
managers. High priority items are generally those that are needed to 
address near-term stock assessment or management needs. Medium priority 
items are generally those that address longer-term needs, while low 
priority needs would provide

[[Page 42337]]

for more effective HMS management, despite lacking an immediate need. 
NMFS has listed as a medium priority for all Atlantic HMS species 
``[examination of] the influence of climate change on range, migration, 
nursery/pupping grounds, and prey species for Atlantic HMS in general'' 
in Chapter 7 (which itemizes Research Needs) because EFH as a 
management tool is not useful if the EFH boundaries do not account for 
shifts in the distribution of managed species.
    Comment 26: NMFS should conduct focused research or provide funding 
to evaluate impacts to Atlantic HMS EFH in the western Gulf of Mexico 
(specifically, Flower Garden Banks National Marine Sanctuary) and for 
restoration.
    Response: Funding to evaluate EFH impacts to degraded habitats and 
for habitat restoration is beyond the scope of this Amendment. NOAA 
staff from the Flower Garden Banks National Marine Sanctuary conduct 
sanctuary implemented and sanctuary facilitated ecological and 
biological research, including research focused on habitat. It is 
beyond the scope of this amendment for the Atlantic HMS Management 
Division to directly conduct focused research, or for the Atlantic HMS 
Management Division to direct the Sanctuary to conduct focused 
research, on Atlantic HMS EFH within Flower Garden Banks National 
Marine Sanctuary. Interested persons should visit the Flower Garden 
Banks National Marine Sanctuary Web page for more information on 
current research programs: https://flowergarden.noaa.gov/science/research.html

    Authority: 16 U.S.C. 971 et seq., and 1801 et seq.

    Dated: September 1, 2017.
Samuel D. Rauch III,
Deputy Assistant Administrator for Regulatory Programs, National Marine 
Fisheries Service.
[FR Doc. 2017-18961 Filed 9-6-17; 8:45 am]
 BILLING CODE 3510-22-P



                                                                            Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices                                                 42329

                                                  degree of flexibility for changes encountered           architecture for its technical and                    constitute substantial compliance with
                                                  by the licensee in such factors as its resource         economic feasibility;                                 the USA–1 and USA–4 licenses and
                                                  knowledge and financial considerations. 15                 • Benchtop metallurgical tests of                  associated exploration plan. As such,
                                                  CFR 970.602(c).                                         extraction efficiencies for the primary               extension of USA–1 and USA–4 is
                                                     The exploration plans associated with                commercial target metals and Rare Earth               warranted.
                                                  these licenses have evolved since their                 Elements found in nodules;                               Comment: Due to the LMC’s failure to
                                                  original approval as part of the initial                   • Selecting the chain of custody and               adequately specify what activities are to
                                                  license issuance in 1984. In 1991,                      processing protocols that will be used                occur under the individual exploration
                                                  NOAA approved a revised exploration                     for mineral content certification which               licenses, the applicant has failed to
                                                  plan for USA–1 delaying at-sea                          will be necessary in order to obtain                  substantially comply with its license
                                                  exploration due to unfavorable                          financing for future operations; and                  and application plan, and therefore, the
                                                                                                             • Participation in the meetings and                extension requests should be denied.
                                                  conditions in the metals markets.1
                                                                                                          discussions of the International Seabed                  Response: NOAA disagrees. In 2012,
                                                  Subsequent extensions of USA–1
                                                                                                          Authority and various international                   NOAA approved a consolidated
                                                  included the approval of the exploration
                                                                                                          programs pertaining to the deep seabed.               exploration plan for USA–1 and
                                                  plan with the delayed implementation                       In addition, the approved exploration
                                                  of at-sea activities (referred to as ‘‘Phase                                                                  USA–4. The Phase I preparatory
                                                                                                          plan includes environmental assessment                activities within the approved
                                                  II Activities’’ in the exploration plan).               activities that must occur as a
                                                  When NOAA approved the transfer of                                                                            consolidated exploration plan are
                                                                                                          prerequisite to undertaking Phase II.                 described generally and appropriately
                                                  USA–4 to the Ocean Minerals Company                     These activities are necessary to further
                                                  (OMCO), the predecessor to LMC, in                                                                            apply to both areas. Given the general
                                                                                                          advance the understanding of the                      nature of the preparatory activities
                                                  1994, OMCO stated that no at-sea                        seabed environment, and the scientific
                                                  exploration activities were planned or                                                                        under Phase I, separate descriptions of
                                                                                                          methodology for its characterization.                 those activities for both license areas are
                                                  needed due to data collection that                      Developing this understanding is not
                                                  preceded the enactment of DSHMRA. In                                                                          not necessary. As described above, the
                                                                                                          limited to activities pertaining                      Licensee has provided sufficient
                                                  2012, NOAA approved a consolidated                      specifically to the areas licensed to
                                                  exploration plan for USA–1 and                                                                                justification to determine that it has
                                                                                                          LMC. Working collaboratively with                     substantially complied with the licenses
                                                  USA–4 with the same contingency                         research institutions, nation states, and
                                                  delaying the start of Phase II at-sea                                                                         and associated exploration plan. If the
                                                                                                          exploration contractors authorized by                 Licensee proceeds to Phase II, activity
                                                  exploration activities due to unfavorable               the International Seabed Authority,
                                                  market conditions. In addition, the                                                                           descriptions pertaining specific areas
                                                                                                          LMC has contributed to collaborative                  may be necessary.
                                                  Licensee cited the need to have security                efforts that have made substantial
                                                  of tenure through international                         advancements in identifying organisms                   Federal Domestic Assistance Catalog
                                                  recognition of the licenses by the                                                                            11.419 Coastal Zone Management Program
                                                                                                          inhabiting the deep seabed, their                     Administration.
                                                  International Seabed Authority                          abundance, distribution, diversity, and
                                                  following accession by the United States                community structure. In addition to                     Dated: August 30, 2017.
                                                  to the UNCLOS, as a justification for                   taxonomic classifications, these efforts              Donna Rivelli,
                                                  delay of the Phase II exploration                       have included genetic characterizations,              Associate Assistant Administrator for
                                                  activities. Since the last extension of                 which are critical to establishing                    Management and CFO/CAO, Ocean Services
                                                  these exploration licenses, LMC has                     biogeographical distinctions and                      and Coastal Zone Management, National
                                                  made substantial expenditures on                        connectivity in the deep seabed                       Oceanic and Atmospheric Administration.
                                                  activities pursuant its approved                        environment. This data and                            [FR Doc. 2017–18994 Filed 9–6–17; 8:45 am]
                                                  exploration plan.2 Noteworthy activities                information, in turn, can be used for                 BILLING CODE 3510–08–P
                                                  of LMC include:                                         predictive habitat modelling. These
                                                     • The integration of data into a GIS                 contributions to the advancement of
                                                  system to map nodule density including                  science are expected to be applicable to              DEPARTMENT OF COMMERCE
                                                  the density distribution of nodules by                  activities in the areas within the                    National Oceanic and Atmospheric
                                                  concentrations of target metals;                        USA–1 and USA–4 licenses when Phase                   Administration
                                                     • The development of environmental                   II activities are proposed there. NOAA,
                                                  baseline metrics by benthic organism                    therefore, views these efforts as further             RIN 0648–XD990
                                                  class;                                                  evidence of the Licensee’s diligence in
                                                                                                          pursuing the activities described in the              Atlantic Highly Migratory Species;
                                                     • The development of updated                                                                               Essential Fish Habitat
                                                  economic models based on the                            exploration plan.
                                                  validation of the end-to-end baseline                      As discussed in the exploration plan               AGENCY:  National Marine Fisheries
                                                  architecture for seabed mining through                  associated with the requested extension               Service (NMFS), National Oceanic and
                                                  the assessment of each segment of the                   of USA–1 and USA–4, the Licensee                      Atmospheric Administration (NOAA),
                                                                                                          continues to find that the market                     Commerce.
                                                    1 DSHMRA regulations provide that the
                                                                                                          conditions and the lack of international              ACTION: Notice of availability of Final
                                                  Administrator may make allowance for deviation          tenure under UNCLOS prevent the                       Environmental Assessment.
                                                  from the exploration plan for good cause, such as       company from moving forward with
                                                  significantly changed market conditions (provided       Phase II of its exploration plan.                     SUMMARY:   NMFS announces the
                                                  the request for extension is accompanied by an          Nonetheless, the Licensee has                         availability of a Final Environmental
mstockstill on DSK30JT082PROD with NOTICES




                                                  amended exploration plan to govern the activities
                                                  of the licensee during the extended period). See 15     demonstrated a commitment to retain                   Assessment for Amendment 10 to the
                                                  CFR 970.515(b).                                         the licenses on a legitimate presumption              2006 Consolidated Atlantic Highly
                                                    2 Although LMC has discussed some work                that the existing contingencies will be               Migratory Species (HMS) Fishery
                                                  performed in collaboration with a United Kingdom        resolved. LMC’s annual reports                        Management Plan (FMP). This Final
                                                  subsidiary in its annual reports, NOAA’s
                                                  determination of substantial compliance was based
                                                                                                          demonstrate that preparatory work for                 Amendment updates Atlantic HMS
                                                  upon an assessment of LMC’s contributions to these      at-sea exploration is continuing and                  essential fish habitat (EFH) based on
                                                  collaborative efforts.                                  NOAA has determined that such efforts                 new scientific evidence or other


                                             VerDate Sep<11>2014   17:42 Sep 06, 2017   Jkt 241001   PO 00000   Frm 00061   Fmt 4703   Sfmt 4703   E:\FR\FM\07SEN1.SGM   07SEN1


                                                  42330                     Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices

                                                  relevant information and following the                  Councils may designate HAPCs where                       On September 8, 2016, NMFS
                                                  EFH delineation methodology                             appropriate. The purpose of a HAPC is                 published a notice of availability of the
                                                  established in Amendment 1 to the 2006                  to focus conservation efforts on                      Draft Environmental Assessment (EA)
                                                  Consolidated Atlantic HMS FMP                           localized areas within EFH that are                   for Amendment 10 to the 2006
                                                  (Amendment 1); updates and considers                    vulnerable to degradation or are                      Consolidated Atlantic HMS FMP (81 FR
                                                  new habitat areas of particular concern                 especially important ecologically for                 62100). Draft Amendment 10 considered
                                                  (HAPCs) for Atlantic HMS based on new                   managed species. EFH regulatory                       all 10 components of EFH listed at
                                                  information, as warranted; minimizes to                 guidelines encourage the Regional                     § 600.815(a). For evaluation of EFH
                                                  the extent practicable the adverse effects              Fishery Management Councils and                       geographic boundaries, the Draft
                                                  of fishing on EFH; and identifies other                 NMFS to identify HAPCs based on one                   Amendment incorporated new
                                                  actions to encourage the conservation                   or more of the following considerations               information and data that became
                                                  and enhancement of EFH. This action is                  (§ 600.815(a)(8)):                                    available to the agency following
                                                  necessary to comply with the EFH                           • The importance of the ecological                 publication of the previous EFH update
                                                  provisions of the Magnuson-Stevens                      function provided by the habitat;                     (Amendment 1 to the 2006 Consolidated
                                                  Fishery Conservation and Management                        • the extent to which the habitat is               Atlantic HMS FMP in 2009). New
                                                  Act (Magnuson-Stevens Act), and the                     sensitive to human-induced                            information and data came from a
                                                  National Standard 2 requirement that                    environmental degradation;                            literature and data meta-analysis
                                                  conservation and management measures                       • whether, and to what extent,                     completed as part of the recent EFH 5-
                                                  be based on the best scientific                         development activities are, or will be,               Year Review, and from data and
                                                  information available.                                  stressing the habitat type; and/or,                   information submitted by NOAA
                                                                                                             • the rarity of the habitat type.                  scientists and the public during public
                                                  DATES: The amendment was approved                          In addition to identifying and
                                                  on August 30, 2017.                                                                                           comment periods. These data sets
                                                                                                          describing EFH for managed fish                       included sources such as fishery-
                                                  ADDRESSES: Electronic copies of Final                   species, NMFS or Regional Fishery                     independent survey data records
                                                  Amendment 10 to the 2006                                Management Councils must periodically                 collected between 2009–2014, even for
                                                  Consolidated HMS FMP and associated                     review EFH FMP components, and                        species where there were limited or no
                                                  documents (including maps and                           make revisions or amendments, as                      new EFH data found in the literature
                                                  shapefiles) may be obtained on the                      warranted, based on new scientific                    review. A complete list of data sources
                                                  internet at: www.nmfs.noaa.gov/sfa/                     evidence or other relevant information                and information used to update Draft
                                                  hms/documents/fmp/am10/index.html.                      (§ 600.815(a)(10)). NMFS commenced                    Amendment 10 is available in the Draft
                                                  FOR FURTHER INFORMATION CONTACT:                        this review and solicited information                 EA. Draft Amendment 10 used the same
                                                  Jennifer Cudney or Randy Blankinship                    from the public in a Federal Register                 EFH delineation methodology
                                                  by phone at (727) 824–5399.                             notice on March 24, 2014 (79 FR 15959).               established in Amendment 1 to update
                                                  SUPPLEMENTARY INFORMATION:                              The initial public review/submission                  EFH boundaries. Draft Amendment 10
                                                                                                          period ended on May 23, 2014. The                     proposed alternatives to modify existing
                                                  Background                                              Draft Atlantic HMS EFH 5-Year Review                  HAPCs or designate new HAPCs for
                                                     The Magnuson-Stevens Act requires                    was made available on March 5, 2015                   bluefin tuna (Thunnus thynnus), and
                                                  that Fishery Management Plans identify                  (80 FR 11981), and the public comment                 sandbar (Carcharhinus plumbeus),
                                                  and describe EFH and, to the extent                     period ended on April 6, 2015. The                    lemon (Negaprion brevisorstris), and
                                                  practicable, minimize the adverse                       Notice of Availability for the Final                  sand tiger sharks (Carcharias taurus);
                                                  effects on EFH caused by fishing, and to                Atlantic HMS EFH 5-Year Review was                    analyzed fishing and non-fishing
                                                  also identify other actions to encourage                published on July 1, 2015 (80 FR 37598)               impacts on EFH through a consideration
                                                  the conservation and enhancement of                     (‘‘5-Year Review’’).                                  of environmental and management
                                                  such habitat. (16 U.S.C. 1853(a)(7)).                      The 5-Year Review considered data                  changes and new information that has
                                                  NMFS has defined EFH as waters and                      and information regarding Atlantic HMS                become available since 2009; identified
                                                  substrate necessary to fish for spawning,               and their habitats that have become                   ways to minimize to the extent
                                                  breeding, feeding, or growth to maturity                available since 2009 that were not                    practicable the adverse effects of fishing
                                                  (50 CFR 600.10). Federal agencies that                  included in EFH updates finalized in                  activities on EFH; and identified other
                                                  authorize, fund, or undertake actions, or               Amendment 1 to the 2006 Consolidated                  actions to encourage the conservation
                                                  propose to authorize, fund, or undertake                HMS FMP (Amendment 1) (June 1,                        and enhancement of EFH.
                                                  actions that may adversely affect EFH                   2010, 75 FR 30484); Final                                NMFS sought public comment on
                                                  must consult with NMFS. In addition, if                 Environmental Impact Statement for                    Draft Amendment 10 through December
                                                  a Federal or State action or proposed                   Amendment 3 to the 2006 Consolidated                  22, 2016. Additionally, NMFS
                                                  action may adversely affect EFH, NMFS                   HMS FMP (Amendment 3) (June 1,                        conducted two public hearing
                                                  must provide the action agency with                     2010, 75 FR 30484); and the interpretive              conference calls/webinars for interested
                                                  recommended measures to conserve                        rule that described EFH for roundscale                members of the public to submit verbal
                                                  EFH (§ 600.815(a)(9)). An adverse effect                spearfish (September 22, 2010, 75 FR                  comments (81 FR 71076). Furthermore,
                                                  is defined as an effect that reduces                    57698). NMFS determined that a                        NMFS presented information on Draft
                                                  quality and/or quantity of EFH. This                    revision of Atlantic HMS EFH was                      Amendment 10 to the Caribbean, Gulf of
                                                  includes direct or indirect physical,                   warranted, and that Amendment 10 to                   Mexico, South Atlantic, Mid-Atlantic,
                                                  chemical, or biological alterations of the              the Atlantic HMS FMP should be                        and New England Fishery Management
                                                  waters or substrate; loss of, or injury to              developed in order to implement these                 Councils. NMFS received 26 unique
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                                                  species and their habitat, and other                    updates. NMFS determined in the 5-                    written comments on the Draft
                                                  ecosystem components; or reduction of                   Year Review that the method used in                   Amendment, and received a number of
                                                  the quality and/or quantity of EFH.                     Amendment 1 to delineate Atlantic                     additional comments and/or clarifying
                                                  Adverse effects may result from actions                 HMS EFH was still the best approach.                  questions at the Atlantic HMS Advisory
                                                  occurring within EFH or outside of EFH.                 This method was therefore applied to                  Panel meeting and at Council meetings.
                                                     In addition to identifying EFH, NMFS                 complete analyses that support the new                   NMFS received multiple comments in
                                                  or Regional Fishery Management                          amendment.                                            support of the proposed updates to EFH


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                                                                            Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices                                          42331

                                                  and for modification and/or creation of                 percent probability boundary is                       recommendations from the SEFSC
                                                  new HAPCs. Among other things, NMFS                     consistent with provisions of the                     during QA/QC review. Final
                                                  received comments and suggestions on                    Magnuson-Stevens Act section                          Amendment 10 also adjusts the
                                                  the following: suggestions to improve                   305(b)(1)(A). For example, Councils or                neonate/YOY sandbar shark HAPC
                                                  EFH analysis methodology;                               NMFS may describe, identify, and                      established in the 1999 FMP for Atlantic
                                                  recommendations against the                             protect habitats of managed species that              Tunas, Swordfish, and Sharks such that
                                                  establishment of EFH boundaries for                     are beyond the EEZ; however, such                     it is consistent with updates to EFH
                                                  dusky sharks north of a New England                     habitat may not be considered EFH for                 (Preferred Alternative 2b) in coastal
                                                  management demarcation line;                            the purposes of the requirements under                North Carolina, Chesapeake Bay, and
                                                  modifications to proposed EFH updates                   sections 303(a)(7) and 305(b) of the                  Delaware Bay for this life stage. The
                                                  for multiple shark species based on                     Magnuson-Stevens Act (§ 600.805(a)(2)).               sandbar shark EFH changes include
                                                  research submitted by commenters;                       Given these aspects of the EFH                        incorporation of additional area in
                                                  modifications on the proposed extent of                 regulations, the 95 percent probability               Delaware Bay and Chesapeake Bay to
                                                  the bluefin tuna HAPC; and requests for                 boundary derived from models is                       reflect updated EFH designations, and
                                                  inclusion of additional information in                  clipped, or made to match, the seaward                adjustment of the HAPC around the
                                                  the EA.                                                 EEZ boundary, depending on where the                  Outer Banks of North Carolina to
                                                     The Final Amendment modifies EFH                     overlap occurred. Based on the                        remove areas in Pamlico Sound. The
                                                  for Atlantic HMS (Preferred Alternative                 recommendations of NMFS scientists in                 HAPC for sandbar shark designated in
                                                  2). When preparing Draft Amendment                      the Northeast and Southeast Fisheries                 1999 is outside the geographic
                                                  10, NMFS identified several new                         Science Centers, and in cases where it                boundaries of the most recent EFH
                                                  datasets and completed a                                made biological sense, NMFS clipped                   designation (Amendment 1) for sandbar
                                                  comprehensive analysis of agency                        polygons to specified features or areas               shark. This alternative would therefore
                                                  datasets that included the addition of                  (e.g., bathymetric (depth) contours                   adjust the boundaries of the HAPC so
                                                  six years of new data (2009–2014).                      (isobaths), the continental shelf break,              that it is contained within the
                                                  Additional relevant datasets were not                   Chesapeake Bay, shorelines). This                     geographic boundaries of the sandbar
                                                  available in time for inclusion in Draft                reflects the known information about                  shark EFH.
                                                  Amendment 10 but have been included                     these species’ habitats. In Final                        Amendment 10 also creates new
                                                  in the Final Amendment 10. These                        Amendment 10, NMFS provides                           HAPCs for juvenile and adult lemon
                                                  datasets contained Level 1 point data                   additional clarifications on the process              sharks (Preferred Alternative 5b) off
                                                  from the Billfish Foundation, the                       for QA/QC and scientific peer review                  southeastern Florida between Cape
                                                  Southeast Area Monitoring and                           considerations of model output (see                   Canaveral and Jupiter inlet and for sand
                                                  Assessment Program (SEAMAP)                             Appendix F of the EA, see ADDRESSES                   tiger shark (Preferred Alternative 6b) in
                                                  icthyoplankton trawl survey, the                        above for instructions on how to view/                Delaware Bay (all life stages) and the
                                                  SEAMAP Acoustic/Small Pelagics                          locate the Final EA). Similarly, NMFS
                                                  survey, the SEAMAP Shrimp/                                                                                    Plymouth, Kingston, Duxbury (PKD)
                                                                                                          also added a more recently updated                    Bay system in coastal Massachusetts
                                                  Bottomfish survey, and the North                        definition of shark nursery areas in
                                                  Carolina Department of Natural                                                                                (neonate/YOY and juveniles). These
                                                                                                          Final Amendment 10 based on the                       HAPCs were proposed in the Draft
                                                  Resources inshore gillnet/trawl survey                  discussion presented in Heupel et al.
                                                  data. There was additional pelagic                                                                            Amendment 10. The new HAPC for
                                                                                                          (2007) to assist in identifying habitats              juvenile and adult lemon sharks is
                                                  longline observer data for white marlin
                                                                                                          that were considered necessary for                    based upon tagging studies and public
                                                  was available following publication of
                                                                                                          neonate/YOY and juvenile life stages of               comments received that expressed
                                                  Draft Amendment 10.
                                                     Given the large number of new data                   sharks (EFH definition) and/or may                    concern about protection of habitat in
                                                  points that became available during and                 have been rare or played a particularly               locations where aggregations of lemon
                                                  following the public comment period                     important ecological role (per HAPC                   sharks are known to occur. The two new
                                                  for Draft Amendment 10, NMFS                            criteria) (see Comments 15 and 16                     sand tiger shark HAPCs are based on
                                                  determined that for Final Amendment                     below; see Appendix F of the EA, see                  data collected by the NEFSC, Haulsee et
                                                                                                          ADDRESSES above for instructions on                   al. (2014 and 2016), and Kilfoil et al.
                                                  10 it was appropriate to rerun models
                                                  for multiple species. For example, the                  how to view/locate the Final EA).                     (2014) indicating that Delaware Bay
                                                  inclusion of SEAMAP Acoustic/Small                         Final Amendment 10 modifies the                    constitutes important habitat for sand
                                                  Pelagic and Shrimp/Bottomfish surveys                   HAPC for bluefin tuna (Preferred                      tiger sharks.
                                                  in analyses rerun for Final Amendment                   Alternative 3b) and sandbar shark                     Response to Comments
                                                  10 added 1,533 data points for angel                    (Preferred Alternative 4b) from that
                                                  shark in the Gulf of Mexico. Inclusion                  established in Amendment 1 to the 2006                   NMFS received 26 unique written
                                                  of these new data points into the Kernal                Consolidated HMS FMP. New literature                  comments from fishermen, council
                                                  Density Estimation/95 Percent Volume                    published by Muhling et al. (2010)                    members, states, environmental groups,
                                                  Contour models resulted in minor                        suggests moderate (20–40 percent)                     academia and scientists, and other
                                                  modifications to the EFH boundary                       probabilities of collecting larvae in areas           interested parties on the Draft EA during
                                                  updates that were previously presented                  of the eastern Gulf of Mexico that are                the public comment period. Comments
                                                  in Draft Amendment 10.                                  not completely covered by the existing                included submissions of 17 form letters
                                                     The EFH model output generated for                   HAPC. Based on this information, Final                that were identical or similar to
                                                  Final Amendment 10 was then                             Amendment 10 extends the HAPC for                     comments provided by organizations.
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                                                  subjected to robust scientific peer                     the Spawning, Eggs, and Larval life                   We also received comments from
                                                  review and quality assurance/quality                    stage in the Gulf of Mexico from its                  fishermen, states, and other interested
                                                  control (QA/QC) to ensure that updates                  current boundary of 86° W. longitude                  parties at Council meetings, Atlantic
                                                  to EFH boundaries were sound. The use                   (long.), eastward to 82° W. long. The                 HMS Advisory Panel meetings, and at
                                                  of robust scientific peer review and QA/                HAPC extends from the 100-meter                       two public conference calls/webinars.
                                                  QC after models are developed and EFH                   isobath to the EEZ, and is based on the               All written comments can be found at
                                                  boundaries are derived from the 95                      distribution of available data and                    http://www.regulations.gov.


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                                                  42332                     Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices

                                                    Comments are summarized below by                      reflect the status quo—no action                      availability, not a function of animal
                                                  major topic together with NMFS’                         alternative in Draft Amendment 10, are                behavior.
                                                  responses.                                              available on the Web site for                           Response: The current approach to
                                                    1. Draft EA Content (Comments 1–2),                   Amendment 1 to the 2006 Consolidated                  designating EFH uses an unweighted
                                                    2. EFH Methodology (Comments 3–5),                    Atlantic HMS FMP.                                     model that delineates contour intervals
                                                    3. Bluefin Tuna EFH Boundary                                                                                around data points; therefore, the
                                                  Designations (Comments 6–9),                            2. EFH Methodology                                    models are influenced by sampling
                                                    4. Bluefin Tuna HAPC Alternative                        Comment 3: Preferred Alternative 2,                 intensity, the spatial distribution of
                                                  (Comments 10–11),                                       which updates all Atlantic HMS EFH                    data, and data availability. Several
                                                    5. Shark EFH Boundary Designations                    designations using the methodology                    Atlantic HMS species are data-poor, and
                                                  (Comments 12–16),                                       established under Amendment 1, is                     the available datasets may provide data
                                                    6. Sandbar Shark HAPC Alternative                     appropriate.                                          points that are clustered in space or
                                                  (Comment 17),                                             Response: NMFS concurs that it is                   time based on the extent of sampling.
                                                    7. Lemon Shark HAPC Alternative                       appropriate to update Atlantic HMS                    NMFS may explore alternative models
                                                  (Comments 18–20),                                       EFH using new data collected since                    and approaches in the future, if
                                                    8. Sand Tiger Shark HAPC Alternative                  2009 and the methodology established                  appropriate, that better account for the
                                                  (Comments 21–22),                                       under Amendment 1. Review and                         spatial distribution of available data and
                                                    9. Other Comments (Comment 23),                       updates of Atlantic HMS EFH are                       other biases that may influence results.
                                                  and                                                     consistent with the EFH provisions of                 3. Bluefin Tuna EFH Boundary
                                                    10. Research and Restoration                          the Magnuson-Stevens Act and National                 Designations
                                                  (Comments 24–26).                                       Standard 2 (i.e., that conservation and
                                                                                                                                                                   Comment 6: NMFS received
                                                  Comments by Subject                                     management measures be based on the
                                                                                                                                                                comments both supporting and not
                                                                                                          best scientific information available).
                                                  1. Draft EA Content                                                                                           supporting the inclusion of the Slope
                                                                                                          During the 5-Year Review process,
                                                                                                                                                                Sea into the bluefin tuna EFH for the
                                                     Comment 1: NMFS received several                     NMFS evaluated 11 different
                                                                                                                                                                Spawning, Eggs, and Larval life stage.
                                                  comments on the content of the Draft                    approaches used to assess EFH by the
                                                                                                                                                                Some commenters supported the
                                                  EA, requesting information confirming                   Agency or published in the literature,
                                                                                                                                                                inclusion of Slope Sea spawning areas
                                                  the importance of habitat associations,                 and determined that the methodology
                                                                                                                                                                into EFH designations for this life stage
                                                  seasonality of peak EFH utilization, and                established under Amendment 1                         because this reflects the best available
                                                  a rationale for the changes in EFH made                 remained the best approach to update                  scientific information. Other
                                                  between Amendment 1 and Draft                           Atlantic HMS EFH.                                     commenters voiced opposition to
                                                  Amendment 10.                                             Comment 4: NMFS should consider                     including EFH for bluefin tuna larvae
                                                     Response: Habitat association and                    designations of EFH by depth (surface,                areas outside the Gulf of Mexico, stating
                                                  seasonality information, based on                       middle, and bottom) where appropriate                 that the designation of EFH cannot be
                                                  available scientific literature, have been              and if there is scientific information that           justified based on current scientific
                                                  included in both the Life History                       supports such a designation.                          knowledge. Specifically, commenters
                                                  reviews and EFH Text Descriptions for                     Response: EFH text descriptions (see                had concerns about limited sample sizes
                                                  Atlantic HMS species (see Chapter 6 of                  Chapter 6 of the EA) include references               in space and time across the Slope Sea.
                                                  the Final EA). If appropriate, NMFS may                 to depth where appropriate based on                   As discussed in Comment 24 below,
                                                  develop products, such as GIS maps                      best available scientific information.                commenters asked that NMFS
                                                  depicting peak seasonal use of EFH by                   EFH delineation in other sections of the              encourage additional research on the
                                                  region in the future. A rationale for the               water column could be useful in Habitat               Slope Sea.
                                                  changes in EFH between Amendment 1                      Consultations; however, information                      Response: During preparation of Draft
                                                  and those established by Final                          describing vertical distribution and                  Amendment 10, NMFS identified
                                                  Amendment 10 is included for each                       habitat utilization in the water column               relevant research by Richardson et al.
                                                  species, where applicable, following                    are not available for all Atlantic HMS                (2016) that included 67 data points
                                                  EFH Text Descriptions in Chapter 6 of                   species in the literature. While NMFS                 where larval bluefin tuna were collected
                                                  the EA.                                                 did not specifically request vertical                 in the Slope Sea. Those data points were
                                                     Comment 2: NMFS should provide                       depth data from the public during the 5-              used as information input for the model.
                                                  online access to the shapefiles and maps                Year Review and Draft Amendment                       Despite the small sample size associated
                                                  of non-preferred alternatives.                          comment periods, NMFS generally                       with Richardson et al. 2016, the number
                                                     Response: Shapefiles and maps                        requested information on relevant EFH                 and distribution of data points were
                                                  depicting preferred alternative EFH and                 data and ideas for delineation methods                sufficient to meet or exceed model
                                                  HAPC boundaries, and maps showing                       and no data on vertical depth                         thresholds for inclusion in the 95
                                                  the extent of non-preferred HAPC                        distribution data were submitted. NMFS                percent volume contour. Since model
                                                  alternatives, may be downloaded at the                  may explore new models and                            results included the Slope Sea areas as
                                                  following Web site: http://                             approaches in the future, and at that                 part of the EFH for the bluefin tuna
                                                  www.nmfs.noaa.gov/sfa/hms/                              time, could evaluate the feasibility of               Spawning, Eggs, and Larval life stage,
                                                  documents/fmp/am10/index.html.                          designating EFH vertically through the                NMFS is retaining the Slope Sea area as
                                                  NMFS did not make available shapefiles                  water column for Atlantic HMS.                        EFH but is also encouraging additional
                                                  or maps of the non-preferred EFH                          Comment 5: The methods used to                      research on these habitats (see Chapter
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                                                  boundary alternative (i.e., status quo) on              delineate EFH may bias results.                       7 of the EA) and Comment 24 below.
                                                  the Amendment 10 Web site to reduce                     Sampling intensity can affect the                        Comment 7: Several commenters
                                                  confusion between what EFH                              observed density, particularly for larvae,            expressed concerns about management
                                                  designations are currently in effect and                as well as for determining the                        implications of identifying Spawning,
                                                  what is being considered in this                        distribution of other species, which                  Eggs, and Larval EFH in areas outside of
                                                  amendment. Shapefiles representing the                  impacts EFH designations. In those                    the Gulf of Mexico given that current
                                                  previous EFH revision exercise, which                   cases, EFH becomes a function of data                 ICCAT management recommendations


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                                                                            Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices                                           42333

                                                  stipulate that the United States should                 EFH designation for adult bluefin EFH                 ecological function provided by the
                                                  not permit directed fishing on bluefin                  to include the entire eastern GOM.                    Slope Sea for the western Atlantic
                                                  tuna in spawning areas.                                    Comment 9: NMFS should                             bluefin stock. Additional sampling and
                                                     Response: The relative importance of                 incorporate the migratory corridor to the             research are also needed in order to
                                                  the Slope Sea bluefin tuna spawning,                    Gulf of Mexico as adult EFH, rather than              effectively evaluate all HAPC criteria.
                                                  eggs and larval EFH to the stock is                     stopping abruptly off the coast of North              The number of data points are fairly
                                                  unclear at this time, however the EFH                   Carolina, most importantly including                  small and are limited temporally;
                                                  model results included the Slope Sea as                 the waters around the Charleston Bump                 therefore, it is difficult to delineate
                                                  part of the EFH for the bluefin tuna                    where tagging studies have shown adult                boundaries for an effective HAPC at this
                                                  Spawning, Eggs, and Larval life stage                   bluefin feed (Wilson et al. 2015).                    time.
                                                  because the distribution of data points                    Response: Examination of PSAT
                                                                                                          tagging data (see Figure 6.1, Section                 5. Shark EFH Boundary Designations
                                                  met the model’s threshold for inclusion
                                                  in the 95 percent volume contour.                       6.2.3) implies that tagged bluefin tuna                  Comment 12: Dusky sharks do not
                                                  ICCAT’s Standing Committee on                           may heavily use pelagic habitats ranging              occur in New England waters. NMFS
                                                  Research and Statistics (SCRS) has                      from coastal North Carolina to areas                  should establish a north/south
                                                  noted that hypotheses concerning the                    north and east of the Bahamas. Data                   demarcation line off New England
                                                  Slope Sea’s importance as a spawning                    available for EFH analyses also indicate              where appropriate measures to reduce
                                                  area still need to be tested (ICCAT 2016,               that pelagic habitats of the Blake Plateau            dusky shark mortality and protect dusky
                                                  http://iccat.int/Documents/Meetings/                    are necessary habitat for adult Bluefin               shark EFH could be implemented in
                                                  Docs/2016_BFT_DATA_PREP_                                tuna. Therefore, based on further review              areas south of the demarcation line.
                                                  ENG.pdf). Furthermore, there are a                      of available data, NMFS adjusted the                  Eighteen copies of a form letter
                                                                                                          boundaries of adult bluefin EFH to                    suggested that dusky shark EFH should
                                                  number of concerns about the
                                                                                                          include some of the areas recommended                 be moved to waters south of New
                                                  conclusions drawn by the Richardson et
                                                                                                          by the commenter. However, it is                      England and/or Montauk, NY. Other
                                                  al. (2016) paper concerning sample size,
                                                                                                          important to note that EFH designations               commenters supported designation
                                                  larval data corrections, variance in data,
                                                                                                          are designed to focus attention on those              south of an area known as ‘‘The Dump’’
                                                  and conclusions about early maturation
                                                                                                          habitats necessary for feeding, breeding,             (approximately 75 km east and slightly
                                                  (e.g., Walter et al. 2016). The SCRS has
                                                                                                          spawning, or growth to maturity.                      south of Montauk), or designation south
                                                  recommended additional research be
                                                                                                          Migration routes, while important in                  of a line extending eastward from
                                                  conducted to address these concerns
                                                                                                          their own right, are not within the scope             Shinnecock, NY (40°50′25″ N. latitude).
                                                  and, at this time, the Slope Sea has not                                                                         Response: Most of the data points
                                                  been recognized by ICCAT as western                     of EFH as defined under NMFS’
                                                                                                          regulations.                                          collected for the EFH modeling exercise
                                                  Atlantic spawning grounds. As                                                                                 were located south of the Gulf of Maine,
                                                  additional information on the relative                  4. Bluefin Tuna HAPC Alternative                      and therefore NMFS agrees it was not
                                                  importance of the Slope Sea and if                         Comment 10: NMFS should accept                     appropriate to include Gulf of Maine
                                                  recognition as spawning grounds                         Preferred Alternative 3b to expand the                habitats in the proposed updates to EFH
                                                  becomes available, NMFS will consider                   bluefin tuna HAPC in the Gulf of                      boundaries that were included in Draft
                                                  that information in developing or                       Mexico, as it meets all four                          Amendment 10. The available data and
                                                  advocating for appropriate domestic and                 considerations for a HAPC pursuant to                 historical information from the
                                                  international measures.                                 § 600.815(a)(8).                                      scientific literature indicate that dusky
                                                     Comment 8: In concert with accepting                    Response: NMFS agrees that Preferred               sharks do occur in southern New
                                                  Preferred Alternative 3b (Expand HAPC                   Alternative 3b is warranted based on the              England waters. The dusky shark EFH
                                                  eastward), NMFS should, at a minimum,                   application of the HAPC criteria to the               boundaries included in Draft
                                                  expand adult bluefin EFH to include the                 current body of scientific literature.                Amendment 10, and the data used in
                                                  entire HAPC boundary.                                   Therefore, NMFS has expanded the                      the EFH models considered in Draft
                                                     Response: Model results did not                      current HAPC for the bluefin tuna                     Amendment 10, reflect data points that
                                                  include the entire Gulf of Mexico into                  Spawning, Eggs, and Larval life stage as              are located offshore of southern New
                                                  the EFH boundaries of adult bluefin                     provided under this alternative.                      England (i.e., south of the southern coast
                                                  tuna. Expansion of adult bluefin EFH                       Comment 11: NMFS should designate                  of Long Island, Nantucket, and Martha’s
                                                  eastward in the Gulf of Mexico to                       or include the Slope Sea, newly                       Vineyard) and along the southern edge
                                                  encompass all areas of the bluefin                      discovered bluefin tuna spawning                      of Georges Bank and the continental
                                                  spawning, eggs, and larval life stage                   habitat, as a HAPC.                                   shelf. However, the proposed EFH
                                                  HAPC, would add only an additional 25                      Response: A HAPC designation for a                 boundaries in Draft Amendment 10 for
                                                  locations (+ ∼2 percent of data points in               particular habitat must be based on one               dusky sharks also included some
                                                  the Gulf of Mexico). PSAT tagging data                  of four criteria: The importance of the               inshore areas in Narragansett Bay, near
                                                  suggest that adult bluefin tuna migrate                 ecological function provided by the                   coastal Rhode Island, and areas adjacent
                                                  through this area, but do not utilize it                habitat; the extent of sensitivity to                 to southeastern Massachusetts. In
                                                  as heavily as other areas of the central                human induced environmental                           consideration of public comments
                                                  and western Gulf of Mexico (e.g.,                       degradation; whether, and to what                     received and review of life history
                                                  Wilson et al. 2015; see Figure 6.1,                     extent, development activities are or                 information and distribution data on
                                                  Section 6.2.3 of the Amendment 10 EA,                   will be stressing the habitat type; and               dusky sharks, NMFS determined that
                                                  see ADDRESSES above for instructions on                 the rarity of the habitat type. Whether               minor adjustments to EFH boundary
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                                                  how to view/locate the Final EA). As                    the Slope Sea satisfies these criteria for            designations to remove some nearshore
                                                  previously mentioned, the intent of EFH                 bluefin tuna is unknown and research to               coastal areas of southern New England
                                                  is not to delineate all areas where the                 better understand the role of this area as            were appropriate. For example, model
                                                  species is known to occur, but rather the               a spawning ground and other habitats                  output published in Draft Amendment
                                                  areas that are necessary for spawning,                  for the species continue. Given the                   10 as EFH for dusky sharks included
                                                  breeding, feeding, or growth to maturity.               limited sample size to date, it is difficult          Narragansett Bay and parts of Buzzards
                                                  Therefore, NMFS has not modified the                    to determine the importance of the                    Bay, however, the salinity of these areas


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                                                  42334                     Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices

                                                  is generally considered to be too low for               feeding, and growth to maturity. The                  neonate/YOY and juvenile sandbar
                                                  dusky sharks (C. McCandless, pers.                      current methodology assumes a                         sharks, juvenile and adult blacknose
                                                  comm, NOAA NEFSC). Parts of                             relationship between the presence and                 sharks, neonate/YOY and adult Atlantic
                                                  Vineyard Sound, Rhode Island Sound,                     density of points and the presence of                 sharpnose sharks, and all life stages of
                                                  Block Island Sound, and Nantucket                       EFH, and does not at this time                        smooth dogfish based on data from the
                                                  Sound were also included, likely as a                   incorporate a predictive aspect based on              annual North Carolina Division of
                                                  result of their proximity to a larger                   environmental variables. NMFS may                     Marine Fisheries (NC DMF) gillnet and
                                                  cluster of data points located further                  explore alternative models and                        longline survey and from research on
                                                  south and offshore. Generally, dusky                    approaches for the next revision of EFH               delineation of coastal shark habitat
                                                  sharks are collected in scientific surveys              and, at that time, would evaluate the                 within coastal North Carolina waters
                                                  further offshore (C. McCandless, pers.                  feasibility of incorporating habitat                  using acoustic telemetry, fishery-
                                                  comm, NOAA NEFSC). Therefore, in                        suitability modeling approaches (such                 independent surveys, and local
                                                  response to public comment and based                    as those put forward by this commenter)               ecological knowledge (Bangley 2016).
                                                  on further review of the best available                 into the delineation of EFH, if                          Response: The information and data
                                                  biological information, the EFH                         appropriate.                                          referenced in this comment, NC DMF
                                                  boundary designations for dusky shark                      Comment 14: Maps and data                          gillnet and longline survey data and
                                                  have been revised to exclude these                      pertaining to drumline surveys                        data from Bangley 2016, provided
                                                  coastal areas.                                          conducted between 2008–2015 by the                    NMFS an opportunity to evaluate
                                                     Commenters also advocated for the                    University of Miami Shark Research and                Atlantic HMS nursery habitat utilization
                                                  use of a north/south demarcation line to                Conservation Lab suggest that areas with              in inshore and coastal North Carolina
                                                  be used for management measures that                    high catch rates in northern Biscayne                 waters. As noted in Heupel et al. (2007),
                                                  would reduce dusky shark mortality and                  Bay (between Elliot Key and Key                       ‘‘the use of the term ‘shark nursery area’
                                                  to implement EFH. Under the current                     Biscayne) should have been included in                by a wide array of scientists, resource
                                                  modeling method, EFH boundaries are                     updates to EFH for blacktip sharks.                   managers and conservationists appears
                                                  based on the distribution and                           NMFS should expand the EFH proposed                   to be inconsistent and lacks proper
                                                  availability of point data, which provide               in Draft Amendment 10 to include these                scientific analysis and justification. In
                                                  empirical evidence that the habitat is                  areas. Areas with highest nurse, lemon,               some cases regions are labeled shark
                                                  important for feeding, breeding,                        and sandbar shark CPUE are already                    nursery areas simply because of the
                                                  spawning or growth to maturity. While                   contained within the proposed updates                 presence of a few juvenile sharks . . .
                                                  landmarks or features can be used as                    to EFH boundaries. NMFS should                        [which] threatens to undermine the
                                                  representations to describe the extent of               finalize the EFH boundary adjustments                 importance of protecting EFH by
                                                  current EFH, they must take into                        included in Draft Amendment 10 for                    potentially identifying all coastal waters
                                                  account the specific locations of a                     these species.                                        as shark nursery areas.’’ Due to
                                                  species’ habitat. Available data and the                   Response: NMFS agrees that areas                   inconsistent use of the term ‘‘nursery
                                                  models developed using the current                      identified for blacktip, nurse, lemon,                area’’ across the scientific community
                                                  EFH delineation methodology suggested                   and sandbar shark EFH off South                       and concerns identified in Heupel et al.
                                                  that some areas north and east of                       Florida are necessary habitats for these              2007), NMFS now prefers to apply the
                                                  Montauk and Shinnecock NY or ‘‘the                      species, and it is therefore appropriate              definitions laid out in Heupel et al. 2007
                                                  Dump’’ should be included within the                    to include these areas in the EFH                     to identify habitats in which: (1) Sharks
                                                  EFH Boundaries. NMFS has described                      boundaries that would be finalized                    are more commonly encountered in
                                                  these locations within the EA.                          under Amendment 10. Blacktip sharks                   these areas versus other areas; (2) sharks
                                                     Comment 13: NMFS should adjust its                   are managed regionally, with a                        remain or return to these areas for
                                                  EFH boundaries to encompass highly                      demarcation line separating the Gulf of               extended periods of time (i.e., site
                                                  suitable habitats for great hammerhead                  Mexico and Atlantic shark stocks at                   fidelity that is greater than mean fidelity
                                                  and tiger sharks as predicted from                      25°20.4′ N. latitude. In response to                  to all sites across years); and (3) the
                                                  habitat suitability modeling. The                       public comment and in consultation                    habitat is repeatedly used across all
                                                  updates to EFH boundaries proposed by                   with the NEFSC and SEFSC, NMFS                        years, whereas others are not. The
                                                  NMFS in Draft Amendment 10 are                          determined that adjustments to the EFH                annual mean number of neonate/YOY
                                                  consistent with habitat suitability                     boundaries for the Atlantic stock of                  bull, sandbar, and blacktip sharks was
                                                  modeling for bull sharks.                               blacktip sharks were appropriate and, in              small (e.g., approximately 5 bull and
                                                     Response: NMFS compared the areas                    Final Amendment 10, extended the                      sandbar sharks per year, 9 blacktip
                                                  of high habitat suitability to data                     southern extent of juvenile and adult                 sharks per year) and not consistent from
                                                  available for EFH analyses and found                    EFH boundaries southward along the                    year to year. Additionally, the survey
                                                  that, in general, the adjustment of EFH                 Florida east coast to 25°20.4′ N. latitude            with the longest timespan, NC DMF,
                                                  based on habitat suitability models is                  (which includes northern Biscayne                     had no supporting data for these species
                                                  inconsistent with the approach used by                  Bay). Similarly, NMFS determined that                 in Back and Core Sounds.
                                                  NMFS in Amendment 10 because                            the Gulf of Mexico stock boundary                        Although some acoustic data are
                                                  certain areas that were deemed highly                   needed to be moved south along the                    available (n = 1 blacktip and 3
                                                  suitable by the commenter contained                     Florida coast to terminate at the 25°20.4′            blacknose sharks), a bigger sample size
                                                  little to no empirical point data. Rather               N. latitude stock demarcation line in                 would be needed to establish residency
                                                  the identification of highly suitable                   order to be consistent with the                       patterns of individuals and demonstrate
                                                  habitat was based on the confluence of                  management extent for this stock (it                  site fidelity through time for these
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                                                  certain environmental characteristics                   previously extended north of this line).              species in inshore North Carolina
                                                  that was predicted to create a more                        Comment 15: NMFS should adjust                     waters. The NC DMF dataset also
                                                  favorable habitat for that species. The                 EFH boundaries to include portions of                 contained only one blacknose shark,
                                                  intent of EFH is not to delineate all                   Pamlico Sound, Core Sound, Back                       and therefore does not provide a
                                                  areas where the species is known to                     Sound, and other inshore coastal waters               scientifically sufficient means to
                                                  occur, but rather areas that are necessary              for juvenile and adult blacktip sharks,               analyze habitat utilization and potential
                                                  to a species spawning, breeding,                        neonate/YOY and juvenile bull sharks,                 EFH. NMFS had very few data points for


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                                                                            Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices                                            42335

                                                  juvenile and adult blacktip sharks (n =                 use of the term ‘‘nursery area’’ across               Pamlico Sound, it would be inconsistent
                                                  23 out of 6,383) and adult blacknose                    the scientific community and the                      with NMFS’ regulations that implement
                                                  sharks (n = 2) in Pamlico, Core, and                    contention of Heupel et al. (2007) that               the EFH provisions of the Magnuson-
                                                  Back Sound.                                             ‘‘the occurrence of juvenile sharks in an             Stevens Act to retain the current
                                                     A larger number of smoothhound and                   area is insufficient evidence to proclaim             boundaries of the Sandbar HAPC. NMFS
                                                  Atlantic sharpnose shark records were                   it a nursery’’, NMFS now prefers to                   will continue to evaluate inshore areas
                                                  noted in areas of Pamlico Sound closer                  apply the definitions laid out in Heupel              of Pamlico Sound for EFH or HAPC
                                                  to the inlets of the Outer Banks, and the               et al 2007 to identify habitats in which              inclusion as more data becomes
                                                  model results supported keeping EFH in                  (1) sharks are more commonly                          available.
                                                  these areas as proposed. However, the                   encountered in these areas versus other
                                                  NC DMF dataset did not include any                                                                            7. Lemon Shark HAPC Alternative
                                                                                                          areas; (2) sharks remain or return to
                                                  Atlantic sharpnose or smoothhound                       these areas for extended periods of time                 Comment 18: NMFS received three
                                                  shark data points for Core Sound or                     (i.e., site fidelity that is greater than             comments (including one from the
                                                  Back Sound, and the number of data                      mean fidelity to all sites across years);             Florida Fish and Wildlife Conservation
                                                  points from the Bangley (2016) dataset                  and (3) the habitat is repeatedly used                Commission) in support of Preferred
                                                  in these locations were also small (n =                 across all years, whereas others are not.             Alternative 5b, the proposed lemon
                                                  33 Atlantic sharpnose sharks and 10                     NC DMF data indicate that, while these                shark HAPC that spans from Cape
                                                  smooth dogfish) so these are excluded                   species are caught consistently between               Canaveral to Jupiter Inlet. Commenters
                                                  for these species and life stages. Many                 years in Pamlico Sound, the numbers of                indicated that the HAPC is needed and
                                                  of the habitats identified near inlets as               data points tend to be low compared to                well placed, and could provide
                                                  potentially important may reflect a                     areas seaward of the Outer Banks.                     additional protection for Southeastern
                                                  temporary condition that is tolerable to                Additional research is needed to                      Florida lemon shark aggregations. Other
                                                  these animals as they follow schools of                 indicate an elevated degree of                        commenters indicate that this
                                                  baitfish to feed; however, these                        dependency, site fidelity, and                        alternative is most appropriate based on
                                                  conditions are temporary as the tides                   utilization of these habitats compared to             available tagging and genetic research
                                                  change. Bangley (2016) analyzes data                    nearshore habitats that are seaward of                that identifies the importance of
                                                  with respect to distance to inlets and                  the Outer Banks before they should be                 aggregation sites and migration
                                                  salinity, however, it does not consider                 included within EFH boundaries per the                pathways contained within the
                                                  tidal influence on the creation of                      rationale that they are ‘‘nursery areas’’.            proposed HAPC.
                                                  temporary habitat through the presence                                                                           Response: NMFS agrees that the
                                                  of prey schools responding to tidal                     6. Sandbar HAPC Alternative                           proposed HAPC is the most appropriate
                                                  fluctuations. Therefore, NMFS                              Comment 17: NMFS should                            alternative given independent research
                                                  encourages additional research to                       implement Alternative 4a (No Action                   conducted by multiple institutions that
                                                  further evaluate these areas as nursery                 Alternative) in concert with                          confirm the areas are rare aggregation
                                                  habitat per the definitions outlined in                 recommendations for Alternative 2 (see                sites of unique importance (i.e., thermal
                                                  Heupel et al. 2007 (see Section 7.1.6 of                comments 15 and 16 above), which                      refugia, nursery grounds for juveniles,
                                                  the Final Environmental Asessement,                     would update existing EFH designations                resting/feeding grounds for adults) for
                                                  which discusses HMS Research Needs),                    and include an expansion of sandbar                   lemon shark populations off the
                                                  but has not designated Pamlico, Core,                   neonate/YOY and juvenile EFH into                     southeastern United States. Tagging and
                                                  and Back Sounds as EFH for blacktip,                    estuarine waters of North Carolina to                 genetic studies also support the
                                                  sandbar, and bull sharks; or Core and                   protect nursery habitats.                             inclusion of habitats in between the two
                                                  Back Sounds as EFH for Atlantic                            Response: As discussed in Comments                 aggregation sites into the HAPC. These
                                                  sharpnose sharks and smooth dogfish.                    15 and 16, there was a small number of                areas are adjacent to a region with
                                                  NMFS may evaluate inshore areas of                      data points available on neonate/YOY                  extremely high population density, and
                                                  coastal North Carolina for inclusion in                 and juvenile sandbar sharks from the                  are thus subject to potential
                                                  these species’ EFH boundaries in the                    datasets and information referenced in                environmental degradation and
                                                  future if more data become available.                   this public comment (NC DMF inshore                   development activities.
                                                     Comment 16: Neonate/YOY and                          gillnet and trawl data, and Bangley                      Comment 19: NMFS should not create
                                                  juvenile sandbar sharks are among the                   2016). NOAA scientists from the SEFSC                 a HAPC for lemon sharks. NMFS should
                                                  most common coastal sharks captured                     and NEFSC recommended that Pamlico                    apply the HAPC criteria strictly for this
                                                  in NC DMF gillnet and longline surveys                  Sound not be included in neonate/YOY                  area, and not designate a HAPC as a
                                                  conducted in the spring and fall. NMFS                  EFH or that a HAPC for this life stage                response to pressure the agency has
                                                  should adjust EFH boundaries for                        be retained in inshore North Carolina                 received to curtail fishing activity in the
                                                  sandbar shark to include portions of                    waters because insufficient data was                  area.
                                                  Pamlico Sound based on a dissertation                   available to compare the spatial and                     Response: As part of EFH
                                                  (Bangley 2016) that suggested coastal                   temporal utilization of these habitats                designations for lemon sharks, NMFS
                                                  North Carolina habitats, including                      with adjacent habitats, which are                     considered whether those areas should
                                                  Pamlico Sound, may be primary and                       critical aspects of athe the nursery area             include HAPCs based on the criteria for
                                                  secondary nursery habitats for multiple                 definition outlined in Heupel et al.                  HAPC specification under 600.815(a):
                                                  shark species, including sandbar shark.                 2007. Therefore, updates to EFH                       The importance of the ecological
                                                     Response: Using NC DMF gillnet and                   finalized in this Amendment do not                    function provided by the habitat, the
                                                  longline survey data,and the data                       include inshore coastal waters of North               extent that the habitat is sensitive to
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                                                  presented in Bangley (2016), NMFS                       Carolina (i.e., Pamlico Sound). The                   human induced environmental
                                                  assessed whether the information                        commenter recommends accepting the                    degradation, the extent that
                                                  provided by the commenter supported                     No Action Alternative, which would                    development activities are or could be
                                                  inclusion of these habitats into neonate/               retain HAPC boundaries in Pamlico                     stressing the habitat type, and the rarity
                                                  YOY EFH boundaries as nursery areas                     Sound. Since a HAPC must be nested                    of the habitat type. A HAPC was
                                                  which are necessary for feeding and                     within updated EFH, and the updated                   included in the Final Amendment based
                                                  growth to maturity. Due to inconsistent                 EFH for sandbar shark does not include                on these analyses, as triggered by the


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                                                  42336                     Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices

                                                  identification of scientific papers (e.g.,              research published by Haulsee et al.                  designation; however, the findings were
                                                  Reyier et al. 2012; Kessel et al. 2014,                 (2014 and 2016), Kilfoil et al. (2014),               insufficient to identify a discrete area
                                                  Reyier et al. 2014) that indicated there                Kneebone et al. (2012 and 2014) suggest               that meets the criteria for a HAPC. The
                                                  was scientific evidence that habitats and               that the habitats meet several HAPC                   area identified by the commenter is
                                                  areas had an important ecological                       criteria (e.g., ecological function                   already included as part of the EFH for
                                                  function, were adjacent to highly                       provided by the habitat—discrete and                  neonate/YOY white sharks; therefore,
                                                  populated areas and therefore                           relatively rare nursery areas and adult               impacts on EFH would be considered as
                                                  susceptible to human use or                             aggregation sites, published concerns                 part of Habitat Consultations in the
                                                  degradation, and were rare aggregation                  about development and environmental                   future.
                                                  sites for this population of lemon                      degradation). NMFS therefore agrees
                                                                                                                                                                10. Research and Restoration
                                                  sharks.                                                 that it is appropriate to establish HAPCs
                                                     Comment 20: One commenter                            in Delaware Bay and the PKD bay                          Comment 24: Additional research is
                                                  expressed concern that a HAPC                           system.                                               needed to evaluate the Slope Sea as a
                                                  designation for lemon sharks would                         Comment 22: NMFS should consider                   potential bluefin tuna spawning site, the
                                                  open the door for new regulations to be                 a HAPC designation in the western end                 parentage of bluefin tuna larvae on the
                                                  implemented in the area.                                of New York’s Great South Bay since it                Slope Sea, and the relative magnitude of
                                                     Response: The purpose of identifying                 has been discovered to be an important                spawning in this area compared to other
                                                  HAPCs is to focus conservation efforts                  nursery ground for sand tiger sharks.                 known spawning grounds.
                                                  on localized areas within EFH that are                  Tagging studies show strong juvenile                     Response: NMFS has included these
                                                  vulnerable to degradation or are                        interannual site fidelity, that the area is           as high priority items in the Research
                                                  especially important ecologically for                   only used by juveniles, and the area is               Needs chapter of Final Amendment 10.
                                                  managed fish. HAPCs can also be used                    located in a heavily populated area of                Additionally, in June of 2017, the
                                                  to target areas for area-based research.                New York that is susceptible to human                 Northeast Fisheries Science Center
                                                  HAPCs are not required to have any                      induced habitat degradation.                          sponsored a cruise on NOAA vessel
                                                  specific management measures.                              Response: NMFS was unable to obtain                Gordon Gunter to conduct research on
                                                  However, such measures may need to be                   data associated with a potential nursery              Slope Sea larval fish populations
                                                  considered to achieve the stated goals                  in Great South Bay, NY. One                           (specifically, bluefin tuna).
                                                  and objectives of the HAPC. Public                      commenter, who was not a data author,                    Comment 25: Ongoing monitoring is
                                                  comment reflected concern for the                       provided a point of contact associated                prudent to ensure that there is no
                                                  status of populations of lemon sharks off               with the New York Aquarium that have                  change in the distribution of dusky
                                                  Southwest Florida. Identification of a                  initiated research on sand tiger sharks in            sharks or other species due to climatic
                                                  HAPC, or variations in abundance or                     Great South Bay and several newspaper                 shift.
                                                  even a change in stock status of a                      and gray literature articles. The data                   Response: In 2014, NMFS published
                                                  species for which a HAPC is identified                  author submitted a comment with                       the Atlantic HMS Management-Based
                                                  does not, by itself, trigger an EFH                     recommendations, but did not provide                  Research Needs and Priorities
                                                  rulemaking. Rather, an EFH rulemaking                   data associated with the comment.                     document. The document contains a list
                                                  is triggered by a verifiable adverse effect             NMFS staff attempted to communicate                   of near- and long-term research needs
                                                  on habitat from a fishing or non-fishing                with the data author multiple times by                and priorities that can be used by
                                                  activity. The EFH provisions of the                     phone and email between October 2016                  individuals and groups interested in
                                                  Magnuson-Stevens Act specify that                       and January 2017, however the data                    Atlantic HMS to identify key research
                                                  FMPs must minimize to the extent                        author/commenter ultimately did not                   needs, improve management, reduce
                                                  practicable adverse effects of fishing on               provide information or data to NMFS                   duplication, prioritize limited funding,
                                                  EFH, and that Councils (and NMFS)                       that would allow NMFS to further                      and form a potential basis for future
                                                  must act to prevent, mitigate, or                       evaluate the assertion that Great South               funding.
                                                  minimize any adverse effects from                       Bay habitat met the HAPC criteria.                       The priorities range from biological/
                                                  fishing, to the extent practicable, if there            Therefore, NMFS has not delineated a                  ecological needs to socioeconomic
                                                  is evidence that a fishing activity                     HAPC for sand tiger sharks in this area               needs and the document can be found
                                                  adversely affects EFH in a manner that                  at this time.                                         at: http://www.nmfs.noaa.gov/sfa/hms/
                                                  is more than minimal and not temporary                                                                        documents/hms_research_priorities_
                                                                                                          9. Other Comments                                     2014.pdf. The Research Needs and
                                                  in nature (600.815(a)(2)(ii). If sufficient
                                                  evidence became available to suggest                       Comment 23: There is a white shark                 Priorities document, along with
                                                  that fishing activity adversely affects                 nursery off Long Island. NMFS should                  feedback gathered on the Final Atlantic
                                                  EFH in a manner that is more than                       protect young white sharks in this area.              HMS EFH 5-Year Review and Draft
                                                  minimal and not temporary in nature,                       Response: In Draft Amendment 10,                   Amendment 10 from the public and the
                                                  NMFS would provide notification to the                  NMFS considered a potential HAPC in                   scientific research community was used
                                                  public of any regulations associated                    the northern Mid-Atlantic and off                     to develop a list of research priorities
                                                  with EFH or the HAPCs in a future                       southern New England for neonate/YOY                  that would support future HMS EFH
                                                  rulemaking.                                             and juvenile white sharks. In particular,             designation and protection in Chapter 7
                                                                                                          Curtis et al. (2014) noted that a large               of the Amendment 10 Final EA. These
                                                  8. Sand Tiger HAPC Alternative                          number of YOY shark observations                      research priorities are further
                                                     Comment 21: NMFS should                              occurred between Great Bay, NJ and                    characterized as high, medium, or low
                                                  implement Preferred Alternative 6b to                   Shinnecock Inlet, NY. Depth and                       priority depending upon the needs
mstockstill on DSK30JT082PROD with NOTICES




                                                  update EFH, as Delaware Bay and the                     temperature associations were provided                identified by the managers. High
                                                  PKD bay system have been found to be                    in this paper for YOY and juveniles;                  priority items are generally those that
                                                  important habitats for sand tiger sharks.               however, this report alone was not                    are needed to address near-term stock
                                                     Response: Data collected by the                      enough to support any one HAPC                        assessment or management needs.
                                                  NEFSC via the Cooperative Atlantic                      criterion. For this final amendment,                  Medium priority items are generally
                                                  States Shark Pupping and Nursery                        NMFS examined additional data and                     those that address longer-term needs,
                                                  (COASTSPAN) survey and scientific                       literature that might support HAPC                    while low priority needs would provide


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                                                                            Federal Register / Vol. 82, No. 172 / Thursday, September 7, 2017 / Notices                                                 42337

                                                  for more effective HMS management,                      following proposal for collection of                    DOD Clearance Officer: Mr. Frederick
                                                  despite lacking an immediate need.                      information under the provisions of the               Licari.
                                                  NMFS has listed as a medium priority                    Paperwork Reduction Act.                                Written requests for copies of the
                                                  for all Atlantic HMS species                            DATES: Consideration will be given to all             information collection proposal should
                                                  ‘‘[examination of] the influence of                     comments received by October 10, 2017.                be sent to Mr. Licari at WHS/ESD
                                                  climate change on range, migration,                     ADDRESSES: Comments and                               Directives Division, 4800 Mark Center
                                                  nursery/pupping grounds, and prey                       recommendations on the proposed                       Drive, East Tower, Suite 03F09,
                                                  species for Atlantic HMS in general’’ in                information collection should be                      Alexandria, VA 22350–3100.
                                                  Chapter 7 (which itemizes Research                      emailed to Ms. Jasmeet Seehra, DoD                      Dated: August 31, 2017.
                                                  Needs) because EFH as a management                      Desk Officer, at Oira_submission@                     Aaron Siegel,
                                                  tool is not useful if the EFH boundaries                omb.eop.gov. Please identify the                      Alternate OSD Federal Register Liaison
                                                  do not account for shifts in the                        proposed information collection by DoD                Officer, Department of Defense.
                                                  distribution of managed species.                        Desk Officer and the Docket ID number                 [FR Doc. 2017–18928 Filed 9–6–17; 8:45 am]
                                                     Comment 26: NMFS should conduct                      and title of the information collection.              BILLING CODE 5001–06–P
                                                  focused research or provide funding to                  FOR FURTHER INFORMATION CONTACT: Fred
                                                  evaluate impacts to Atlantic HMS EFH                    Licari, 571–372–0493.
                                                  in the western Gulf of Mexico                           SUPPLEMENTARY INFORMATION:
                                                  (specifically, Flower Garden Banks                                                                            DEPARTMENT OF EDUCATION
                                                                                                             Title, Associated Form and OMB
                                                  National Marine Sanctuary) and for                      Number: USMC Children, Youth and                      [Docket No.: ED–2017–ICCD–0114]
                                                  restoration.                                            Teen Programs (CYTP) Registration
                                                     Response: Funding to evaluate EFH                    Packet; NAVMC 11720, NAVMC 1750/                      Agency Information Collection
                                                  impacts to degraded habitats and for                    4, and NAVMC 1750/5; OMB Control                      Activities; Comment Request; Generic
                                                  habitat restoration is beyond the scope                 Number 0703–XXXX.                                     Application Package for Departmental
                                                  of this Amendment. NOAA staff from                         Type of Request: New Collection.                   Generic Grant Programs
                                                  the Flower Garden Banks National                           Number of Respondents: 112,000.
                                                  Marine Sanctuary conduct sanctuary                                                                            AGENCY: Office of the Secretary (OS),
                                                                                                             Responses per Respondent: 1.                       Department of Education (ED).
                                                  implemented and sanctuary facilitated                      Annual Responses: 112,000.
                                                  ecological and biological research,                        Average Burden per Response: 70                    ACTION: Notice.
                                                  including research focused on habitat. It               minutes.
                                                                                                             Annual Burden Hours: 131,040.                      SUMMARY:    In accordance with the
                                                  is beyond the scope of this amendment
                                                                                                             Needs and Uses: The information                    Paperwork Reduction Act of 1995, ED is
                                                  for the Atlantic HMS Management
                                                                                                          collected on these forms is used by MFP               proposing an extension of an existing
                                                  Division to directly conduct focused
                                                                                                          and Inclusion Action Team (IAT)                       information collection.
                                                  research, or for the Atlantic HMS
                                                  Management Division to direct the                       professionals for purposes of patron                  DATES: Interested persons are invited to
                                                  Sanctuary to conduct focused research,                  registration, to determine the general                submit comments on or before
                                                  on Atlantic HMS EFH within Flower                       health status of patrons participating in             November 6, 2017.
                                                  Garden Banks National Marine                            CYTP activities and if necessary the                  ADDRESSES: To access and review all the
                                                  Sanctuary. Interested persons should                    appropriate accommodations for the                    documents related to the information
                                                  visit the Flower Garden Banks National                  patron for full enjoyment of CYTP                     collection listed in this notice, please
                                                  Marine Sanctuary Web page for more                      services, and provides consent for                    use http://www.regulations.gov by
                                                  information on current research                         information to be exchanged between                   searching the Docket ID number ED–
                                                  programs: https://                                      MFP personnel and other designated                    2017–ICCD–0114. Comments submitted
                                                  flowergarden.noaa.gov/science/                          individuals or organizations about a                  in response to this notice should be
                                                  research.html                                           patron participating in MFP.                          submitted electronically through the
                                                                                                             Affected Public: Individuals or                    Federal eRulemaking Portal at http://
                                                     Authority: 16 U.S.C. 971 et seq., and 1801
                                                  et seq.
                                                                                                          households; business or other for-profit.             www.regulations.gov by selecting the
                                                                                                             Frequency: Annually.                               Docket ID number or via postal mail,
                                                    Dated: September 1, 2017.                                Respondent’s Obligation: Voluntary.                commercial delivery, or hand delivery.
                                                  Samuel D. Rauch III,                                       OMB Desk Officer: Ms. Jasmeet                      Please note that comments submitted by
                                                  Deputy Assistant Administrator for                      Seehra.                                               fax or email and those submitted after
                                                  Regulatory Programs, National Marine                       You may also submit comments and                   the comment period will not be
                                                  Fisheries Service.                                      recommendations, identified by Docket                 accepted. Written requests for
                                                  [FR Doc. 2017–18961 Filed 9–6–17; 8:45 am]              ID number and title, by the following                 information or comments submitted by
                                                  BILLING CODE 3510–22–P                                  method:                                               postal mail or delivery should be
                                                                                                             • Federal eRulemaking Portal: http://
                                                                                                                                                                addressed to the Director of the
                                                                                                          www.regulations.gov. Follow the
                                                                                                                                                                Information Collection Clearance
                                                  DEPARTMENT OF DEFENSE                                   instructions for submitting comments.
                                                                                                             Instructions: All submissions received             Division, U.S. Department of Education,
                                                                                                          must include the agency name, Docket                  400 Maryland Avenue SW., LBJ, Room
                                                  Department of the Navy                                                                                        216–32, Washington, DC 20202–4537.
                                                                                                          ID number and title for this Federal
                                                  [Docket ID: USN–2015–0004]                              Register document. The general policy                 FOR FURTHER INFORMATION CONTACT: For
                                                                                                          for comments and other submissions                    specific questions related to collection
mstockstill on DSK30JT082PROD with NOTICES




                                                  Submission for OMB Review;                              from members of the public is to make                 activities, please contact Alfreida
                                                  Comment Request                                         these submissions available for public                Pettiford, 202–245–6110.
                                                  ACTION:   30-day information collection                 viewing on the Internet at http://                    SUPPLEMENTARY INFORMATION: The
                                                  notice.                                                 www.regulations.gov as they are                       Department of Education (ED), in
                                                                                                          received without change, including any                accordance with the Paperwork
                                                  SUMMARY: The Department of Defense                      personal identifiers or contact                       Reduction Act of 1995 (PRA) (44 U.S.C.
                                                  has submitted to OMB for clearance, the                 information.                                          3506(c)(2)(A)), provides the general


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Document Created: 2017-09-07 02:01:40
Document Modified: 2017-09-07 02:01:40
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice of availability of Final Environmental Assessment.
DatesThe amendment was approved on August 30, 2017.
ContactJennifer Cudney or Randy Blankinship by phone at (727) 824-5399.
FR Citation82 FR 42329 
RIN Number0648-XD99

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