83_FR_19309 83 FR 19224 - Takes of Marine Mammals Incidental to Specified Activities; Taking Marine Mammals Incidental to the Cook Inlet Pipeline Cross Inlet Extension Project

83 FR 19224 - Takes of Marine Mammals Incidental to Specified Activities; Taking Marine Mammals Incidental to the Cook Inlet Pipeline Cross Inlet Extension Project

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 83, Issue 85 (May 2, 2018)

Page Range19224-19236
FR Document2018-09242

In accordance with the regulations implementing the Marine Mammal Protection Act (MMPA), as amended, notification is hereby given that NMFS has issued an incidental harassment authorization (IHA) to Harvest Alaska, LLC (Harvest), to incidentally take, by Level B harassment, eight species of marine mammals incidental to oil and gas pipeline installation activities associated with the Cook Inlet Pipeline Cross Inlet Extension Project (CIPL), Cook Inlet, Alaska.

Federal Register, Volume 83 Issue 85 (Wednesday, May 2, 2018)
[Federal Register Volume 83, Number 85 (Wednesday, May 2, 2018)]
[Notices]
[Pages 19224-19236]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-09242]



[[Page 19224]]

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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

RIN 0648-XF957


Takes of Marine Mammals Incidental to Specified Activities; 
Taking Marine Mammals Incidental to the Cook Inlet Pipeline Cross Inlet 
Extension Project

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

ACTION: Notice; issuance of incidental harassment authorization.

-----------------------------------------------------------------------

SUMMARY: In accordance with the regulations implementing the Marine 
Mammal Protection Act (MMPA), as amended, notification is hereby given 
that NMFS has issued an incidental harassment authorization (IHA) to 
Harvest Alaska, LLC (Harvest), to incidentally take, by Level B 
harassment, eight species of marine mammals incidental to oil and gas 
pipeline installation activities associated with the Cook Inlet 
Pipeline Cross Inlet Extension Project (CIPL), Cook Inlet, Alaska.

DATES: The IHA is valid from April 25, 2018, through April 24, 2019.

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

SUPPLEMENTARY INFORMATION: 

Availability

    An electronic copy of the IHA and supporting documents, as well as 
a list of the references cited in this document, may be obtained online 
at https://www.fisheries.noaa.gov/node/23111. In case of problems 
accessing these documents, please call the contact listed above (see 
FOR FURTHER INFORMATION CONTACT).

Background

    Sections 101(a)(5)(A) and (D) of the MMPA (16 U.S.C. 1361 et seq.) 
direct the Secretary of Commerce (as delegated to NMFS) to allow, upon 
request, the incidental, but not intentional, taking of small numbers 
of marine mammals by U.S. citizens who engage in a specified activity 
(other than commercial fishing) within a specified geographical region 
if certain findings are made and either regulations are issued or, if 
the taking is limited to harassment, a notice of a proposed 
authorization is provided to the public for review.
    An authorization for incidental takings shall be granted if NMFS 
finds that the taking will have a negligible impact on the species or 
stock(s), will not have an unmitigable adverse impact on the 
availability of the species or stock(s) for subsistence uses (where 
relevant), and if the permissible methods of taking and requirements 
pertaining to the mitigation, monitoring and reporting of such takings 
are set forth.
    NMFS has defined ``negligible impact'' in 50 CFR 216.103 as an 
impact resulting from the specified activity that cannot be reasonably 
expected to, and is not reasonably likely to, adversely affect the 
species or stock through effects on annual rates of recruitment or 
survival.
    NMFS has defined ``unmitigable adverse impact'' in 50 CFR 216.103 
as an impact resulting from the specified activity:
    (1) That is likely to reduce the availability of the species to a 
level insufficient for a harvest to meet subsistence needs by: (i) 
Causing the marine mammals to abandon or avoid hunting areas; (ii) 
directly displacing subsistence users; or (iii) placing physical 
barriers between the marine mammals and the subsistence hunters; and
    (2) That cannot be sufficiently mitigated by other measures to 
increase the availability of marine mammals to allow subsistence needs 
to be met.
    The MMPA states that the term ``take'' means to harass, hunt, 
capture, kill or attempt to harass, hunt, capture, or kill any marine 
mammal.
    Except with respect to certain activities not pertinent here, the 
MMPA defines ``harassment'' as any act of pursuit, torment, or 
annoyance which (i) has the potential to injure a marine mammal or 
marine mammal stock in the wild (Level A harassment); or (ii) has the 
potential to disturb a marine mammal or marine mammal stock in the wild 
by causing disruption of behavioral patterns, including, but not 
limited to, migration, breathing, nursing, breeding, feeding, or 
sheltering (Level B harassment).

National Environmental Policy Act

    To comply with the National Environmental Policy Act of 1969 (NEPA; 
42 U.S.C. 4321 et seq.) and NOAA Administrative Order (NAO) 216-6A, 
NMFS must review our proposed action (i.e., the issuance of an 
incidental harassment authorization) with respect to potential impacts 
on the human environment.
    Accordingly, NMFS prepared an Environmental Assessment (EA) to 
consider the environmental impacts associated with the issuance of the 
proposed IHA and, on April 25, 2018, issued an associated Finding of No 
Significant Impact. NMFS' EA and FONSI are available at https://www.fisheries.noaa.gov/node/23111.

Description of Proposed Activity

    The proposed CIPL project includes the installation of two new 
steel subsea pipelines in the waters of Cook Inlet. Work includes 
moving subsea obstacles out of the pipeline corridor, pulling two 
pipelines (one oil, one gas) into place on the seafloor, securing 
pipelines with sandbags, and connecting the pipelines to the existing 
Tyonek platform. The positioning and installation of the offshore 
pipeline would be accomplished using a variety of pipe pulling, 
positioning, and securing methods supported by dive boats, tug boats, 
and/or barges and winches. Work would be limited to the pipeline 
corridor from Ladd Landing to the Tyonek Platform and could occur for 
up to 108 days. The installation of the subsea pipelines, specifically 
presence of and noise generated from work vessels, has the potential to 
take marine mammals by harassment. NMFS has authorized Harvest to take 
small numbers of eight species of marine mammals incidental to the 
project.

Dates and Duration

    The CIPL project will take place for approximately 108 days if able 
to work without interruption (e.g., weather delays). Work will be 
staged with repositioning of obstacles (e.g., boulders) lasting 
approximately 15 days, pipe pulling lasting approximately 11 days 
(weather permitting) and the remainder of the project, including 
equipment mobilization, pipeline securing, pipeline connection to the 
Tyonek platform, and demobilization constituting the remainder of the 
108 day project.

Specific Geographic Region

    Cook Inlet is a complex Gulf of Alaska estuary (as described in 
BOEM 2016) that covers roughly 7,700 square miles (mi\2\; 20,000 square 
kilometers (km\2\)), with approximately 840 miles (mi) (1,350 linear 
kilometer (km)) of coastline (Rugh et al., 2000). Cook Inlet is 
generally divided into upper and lower regions by the East and West 
Forelands (see Figure 1-1 in Harvest's application). Northern Cook 
Inlet bifurcates into Knik Arm to the north and Turnagain Arm to the 
east. Overall, Cook Inlet is shallow, with an area-weighted mean depth 
of 148 feet (ft) (44.7 meters (m)). The physical oceanography of Cook 
Inlet is characterized by complex circulation with variability at 
tidal, seasonal, annual, and inter-annual timescales

[[Page 19225]]

(Musgrave and Statscewich, 2006). This region has the fourth largest 
tidal range in the world and as a result, extensive tidal mudflats that 
are exposed at low tides occur throughout Cook Inlet, especially in the 
upper reaches. These tides are also the driving force of surface 
circulation. Strong tidal currents drive the circulation in the greater 
Cook Inlet area with average velocities ranging from 1.5 to 3 m per 
second (3 to 6 knots).
    The project area is located a few km north of the village of Tyonek 
between Ladd Landing and the Tyonek Platform (see Figure 1-2 of 
Harvest's application). On April 11, 2011, NMFS designated beluga whale 
(Delphinapterus leucas) critical habitat in the action area. Critical 
habitat includes known fall and winter Cook Inlet beluga whale foraging 
and transiting areas (see Figure 4-1 in Harvest's application).

Detailed Description of Specific Activity

    A complete description of the specified activity may be found in 
our notice of the proposed IHA (83 FR 8437; February 27, 2018) and a 
summary is provided below. No changes to the proposed project have 
occurred since publication of that notice.
    The project includes the installation of two new steel subsea 
pipelines in the waters of Cook Inlet: A 10-inch (in) nominal diameter 
gas pipeline (Tyonek W 10) between the Tyonek Platform and the Beluga 
Pipeline (BPL) Junction, and the 8-in nominal diameter oil pipeline 
(Tyonek W 8) between the existing Tyonek Platform and Ladd Landing. 
Pipelines installation activities would be conducted in phases and 
include moving subsea obstacles out of the pipeline corridor, pulling 
two pipelines (one oil, one gas) into place on the seafloor, securing 
pipelines with sandbags, and connecting the pipelines to the existing 
Tyonek platform. The positioning and installation of the offshore 
pipeline would be accomplished using a variety of pipe pulling, 
positioning, and securing methods supported by dive boats, tug boats, 
and/or barges and winches. The barge would be relocated approximately 
two to three times per day. Work would be limited to the pipeline 
corridor from Ladd Landing to the Tyonek Platform and could occur for 
up to 108 days. Table 1 contains construction scenarios during the 
phased project and associated use duration.

    Table 1--Construction Scenarios, Associated Equipment and Estimated Source Levels During the 108-Day CIPL
                                                     Project
----------------------------------------------------------------------------------------------------------------
                                                                                    Approximate
         Project component/scenario                      Noise source                duration       Approximate
                                                                                      (days)       hours per day
----------------------------------------------------------------------------------------------------------------
Obstruction Removal and Pipeline pulling     Tug (120 ft) x 2...................              68           10-12
 (subtidal).
                                             Dive boat \1\......................              28               9
                                             Sonar boat \2\.....................               9              12
                                             Work boat (120 ft) \1\.............              68               9
                                             Crew boat (48 ft) \1\..............              68               9
                                             Barge anchoring \3\................  ..............  ..............
Pipeline pulling (intertidal)..............  Tug x 2............................              16           10-12
                                             Barge anchoring Crew boat..........              16  ..............
Trenching (transition zone)................  Tug x 2............................              10              12
                                             Backhoe/bucket dredge \4\ (beach-                10              12
                                              based).
Mid-line Pipeline Tie-In Work..............  Tug x 2............................               7           10-12
                                             Dive boat..........................               4               9
                                             Work boat..........................               7              12
                                             Barge anchoring....................               7               6
Connections of Tyonek Platform.............  Tug x 2............................               7           10-12
                                             Work boat..........................               7               8
                                             Dive boat..........................               7               9
                                             Underwater tools (hydraulic wrench,               7      30 minutes
                                              pneumatic grinder, and pressure
                                              washer).
Total Duration \5\.........................  Tug x 2............................             108  ..............
                                             Dive boat..........................              39  ..............
                                             Sonar boat.........................               9  ..............
                                             Work/crew boat.....................             108  ..............
----------------------------------------------------------------------------------------------------------------
\1\ The dive boat, crew boat, and work boat durations are shorter than tugs because they would be tied to the
  barge most of the time. Main engines would not be running while tied up, but a generator and compressors would
  be running to support diving operations.
\2\ Sonar boat engine noise only. Sonar equipment would operate at frequencies over 200 kHz.
\3\ Barge is equipped with four anchors.
\4\ Backhoe and tug will be used approximately 2-4 hours per low/slack tide to complete transition zone
  installation.
\5\ Total time does not include allowance of 6 weather days because vessels would not operating during those
  days.

Comments and Responses

    A notice of proposed IHA was published in the Federal Register on 
February 27, 2018 (83 FR 8437) for public comment. During the 30-day 
public comment period, NMFS received comment letters from the Marine 
Mammal Commission (Commission) and a group of students from the 
University of Arizona (Students). The public comment letters received 
on the notice of proposed IHA are available on the internet at: https://www.fisheries.noaa.gov/node/23111. Following is a summary of the 
public comments and NMFS' responses.
    Comment 1: The Commission acknowledged that the activities will 
likely have lesser impacts than other sound-producing activities but 
indicated that NMFS should explain why the activities, in combination 
with ongoing and other planned activities in Cook Inlet, would affect 
only a small number of Cook Inlet beluga whales and have no more than a 
negligible impact on the population.
    NMFS Response: In accordance with the MMPA and our implementing 
regulations at 50 CFR 216.104(c), and as described in this notice, we 
use the best available scientific evidence to determine whether the 
taking of marine

[[Page 19226]]

mammals by the specified activity within the specified geographic 
region will have a negligible impact on the affected species or stock. 
The MMPA requires these findings be made with respect to the specified 
activity contained within an applicant's request for authorization. 
However, our negligible impact finding considers the potential impact 
of the specified activity in consideration of the status of the stock 
and existing threats. That is, the impacts from other past and ongoing 
anthropogenic activities are incorporated into the negligible impact 
analysis via their impacts on the environmental baseline (e.g., 
density/distribution and status of the species, population size and 
growth rate, and ambient noise). Here, as acknowledged by the 
Commission, the potential impact of the specified activity is low. 
Moreover, the IHA contains a number of mitigation and monitoring 
measures designed to minimize, reducing both frequency of take and 
intensity of take (which is already low). Further, as described here, 
we have compared the number of take to the stock abundance and 
determined that we are authorizing take of a small number of marine 
mammals per stock.
    NMFS has made the necessary findings to issue the IHA to Harvest 
for take of marine mammals incidental to their pipeline installation 
activities. Nonetheless, NMFS agrees that caution is appropriate in the 
management of impacts on this small resident beluga population with 
declining abundance and constricted range. Accordingly, NMFS is 
requiring that Harvest submit weekly and monthly reports on their daily 
marine mammal monitoring efforts. Consistent with our implementing 
regulations, if NMFS determines that the level of taking is having or 
may have a more than negligible impact on a species or stock, NMFS may 
suspend or modify an LOA, as appropriate, following notice and comment.
    Comment 2: The Commission recommends that NMFS include take 
authorization for California sea lions, increase the number of 
authorized takes of harbor porpoises from 10 to at least 72, and 
require Harvest to notify NMFS immediately if the numbers of takes 
approach the authorized limits for any species.
    NMFS Response: NMFS has reviewed a suite of industry monitoring 
reports, NMFS marine mammal survey data, and NMFS anecdotal sighting 
database in consideration of the Commission's comments with respect to 
all species proposed for authorization and determined that an 
adjustment of take numbers for almost all species was warranted to 
ensure the numbers of authorized takes for the project was sufficient 
given the nature of the project (i.e., some activities cannot be 
stopped once begun). We refer the reader to the ``Estimated Take'' 
section below for details on how the new take numbers were calculated. 
Specific to the Commission's comment on harbor porpoise, NMFS 
authorized the take of 100 individuals in the IHA based on 2012 
industry survey reports (which NMFS notes indicate an unusually large 
number of sightings compared to multiple and more recent survey years). 
NMFS has also added takes and associated analysis of California sea 
lions and gray whales included the recommended notification measure 
should Harvest approach take limits for any marine mammal species.
    Comment 3: The Commission recommended, after reviewing proposed 
changes to the monitoring plan (see Monitoring and Reporting section), 
that NMFS require Harvest to deploy an additional protected species 
observer (PSO) on an alternate vessel located on the opposite side of 
the Level B harassment zone from the proposed land- or platform-based 
observer.
    NMFS Response: The Commission's comment reflect a concern for 
marine mammal detectability during the time activities are occurring in 
the middle of the project corridor between land and the Tyonek 
Platform. NMFS agrees detection at these distances is problematic; 
however, we disagree that placing another vessel on the water (which 
introduces additional underwater noise) is the appropriate response to 
addressing this issue. Instead, NMFS is requiring Harvest to place an 
observer at Ladd Landing and the Tyonek platform (concurrently) when 
pipelines installation activities occur 2 to 6.5 km from shore. 
Further, the PSO(s) would be in constant contact with vessel captains 
and crew and NMFS has included an additional monitoring measure 
requiring vessel-based crew to report any marine mammal sighting to the 
PSO.
    Comment 4: The Commission requested clarification of certain issues 
associated with NMFS's notice that one-year renewals could be issued in 
certain limited circumstances and expressed concern that the process 
would bypass the public notice and comment requirements. The Commission 
also suggested that NMFS should discuss the possibility of renewals 
through a more general route, such as a rulemaking, instead of notice 
in a specific authorization. The Commission further recommended that if 
NMFS did not pursue a more general route, that the agency provide the 
Commission and the public with a legal analysis supporting our 
conclusion that this process is consistent with the requirements of 
101(a)(5)(D) of the MMPA.
    NMFS Response: The process of issuing a renewal IHA does not bypass 
the public notice and comment requirements of the MMPA. The notice of 
the proposed IHA expressly notifies the public that under certain, 
limited conditions an applicant could seek a renewal IHA for an 
additional year. The notice describes the conditions under which such a 
renewal request could be considered and expressly seeks public comment 
in the event such a renewal is sought. Importantly, such renewals would 
be limited to where the activities are identical or nearly identical to 
those analyzed in the proposed IHA, monitoring does not indicate 
impacts that were not previously analyzed and authorized, and the 
mitigation and monitoring requirements remain the same, all of which 
allow the public to comment on the appropriateness and effects of a 
renewal at the same time the public provides comments on the initial 
IHA. NMFS has modified the language for future proposed IHAs to clarify 
that all IHAs, including renewal IHAs, are valid for no more than one 
year and that the agency would consider only one renewal for a project 
at this time (the latter accomplished by using the word ``second''). In 
addition, notice of issuance or denial of a renewal IHA would be 
published in the Federal Register, as are all IHAs. Lastly, NMFS will 
publish on our website a description of the renewal process before any 
renewal is issued utilizing the new process.
    Comment 5: The Students were concerned marine mammals access may be 
blocked by the project provided pipe segments, which are 2.5 mi long, 
and requested more information on mitigation measures designed to 
ensure animals have access to important foraging areas in the northern 
inlet.
    NMFS Response: The project would not create physical barriers to 
accessing locations north and south of the project area. The pipelines 
would be pulled along the sea floor and the presence of the limited 
number of vessels involved in the project would not block access. 
Acoustically, we anticipate the highest noise levels to occur at the 
vessel and barge locations, not within an entire 2.5 mi stretch in any 
particular moment in time. As described in our Federal Register notice, 
we believe animals will detour around the project site but more 
specifically, around the work vessels generating the most amount of 
noise.

[[Page 19227]]

Furthermore, the noise levels are not particularly high, and belugas 
are accustomed to industrial noises such as at the Port of Anchorage. 
There is ample evidence that construction noise at the Port of 
Anchorage, including impact pile driving, does not deter belugas from 
accessing critical foraging area higher in Knik Arm. Through the IHA, 
Harvest is also required to implement a number of mitigation measures 
designed to minimize both the frequency and degree of impact. These 
include lowering source levels of vessels at all times when full engine 
engagement is not required (e.g., idle, tie up to barge and shut-down) 
and to delay the onset of activities if animals are observed within or 
entering the Level B harassment zone. Lastly, Harvest is required to 
submit weekly monitoring reports to NMFS for the duration of the 
project. Should monitoring by Harvest indicate marine mammals are 
experiencing anything more than the expected impacts, NMFS would employ 
an adaptive management approach to ensure impacts are not beyond those 
anticipated.
    Comment 6: The Students expressed concern that information in the 
EA is not adequate to estimate amount of take and, specifically, harbor 
porpoise sightings have increased in recent years and should be 
considered.
    NMFS Response: NMFS refers the reader to our response to the 
Commission's comment regarding amount of take (Comment 2) and the 
``Estimated Take'' section.
    Comment 7: The Students indicated coordination with other agencies, 
local organizations, Inuit communities, US Fish and Wildlife Service, 
or other interest groups during development of the draft Environmental 
Assessment NMFS prepared for the project could result in a more 
effective project plan that could lessen the level B harassment on the 
marine mammals and allow for improved completion of the project.
    NMFS Response: NMFS provided both the proposed IHA and draft EA for 
public comment. The agencies, communities, and interest groups 
referenced had opportunity to comment during this time and, as 
indicated in the Federal Register notice for the proposed IHA, NMFS 
considered all comments prior to issuing the IHA and finalizing the EA. 
Moreover, the MMPA requires NMFS to prescribe mitigation measures that 
effect the least practicable impact on marine mammal species and 
stocks, which we believe has been achieved.

Description of Marine Mammals in the Area of Specified Activities

    In the Federal Register notice announcing our proposed IHA (83 FR 
8437; February 27, 2018), we summarized available information regarding 
status and trends, distribution and habitat preferences, and behavior 
and life history, of six of the potentially affected species. We have 
determined two additional species, the gray whale and California sea 
lion, have the potential, albeit unlikely, to enter into the project 
area. Due to the nature of the activities and the inability to stop 
some of the operational activities once they commence (e.g., pipe 
pulling or pushing the barge), we are including, in an abundance of 
caution, these species in the final IHA. Table 2 provides a summary of 
the status of these species.

                                            Table 2--Species With Potential Occurrence Within the Action Area
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                             Stock abundance (CV,
             Common name                  Scientific name              Stock            ESA/MMPA status;       Nmin, most recent     PBR \3\   Annual M/
                                                                                       Strategic (Y/N) \1\   abundance survey) \2\               SI \4\
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                          Order Cetartiodactyla--Cetacea--Superfamily Mysticeti (baleen whales)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Eschrichtiidae:
    Gray whale......................  Eschrichtius robustus.  Eastern North Pacific.  -                     20,990 (0.05, 20125,          624        132
                                                                                                             2011).
Family Balaenopteridae (rorquals):
    Humpback whale..................  Megaptera novaeangliae  Central North Pacific.  E;Y                   10,103 (0.3, 7890,             83         24
                                                                                                             2006).
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                            Superfamily Odontoceti (toothed whales, dolphins, and porpoises)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Delphinidae:
    Beluga whale....................  Delphinapterus leucas.  Cook Inlet............  E;Y                   312 (0.1, 287, 2014)..        UND          0
    Killer whale....................  Orcinus orca..........  Alaska Resident.......  -                     2,347 (unk, 2,347,             24          1
                                                                                                             2012).
    Killer whale....................  Orcinus orca..........  Gulf of Alaska,         -                     587 (unk, 587, 2012)..        5.9          1
                                                               Aleutian, Bering Sea
                                                               Transient.
Family Phocoenidae (porpoises):
    Harbor porpoise.................  Phocoena phocoena.....  Gulf of Alaska........  N;Y                   31,046 (0.214, N/A,           UND         72
                                                                                                             1998).
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                         Order Carnivora--Superfamily Pinnipedia
--------------------------------------------------------------------------------------------------------------------------------------------------------
Family Otariidae (eared seals and
 sea lions):
    Steller sea lion................  Eumetopias jubatus....  Western U.S...........  E;Y                   50,983 (unk, 50,983,          306        236
                                                                                                             2015).
    California sea lion.............  Zalophus californianus  U.S...................  -                     296,750 (n/a, 153,337,      9,200        389
                                                                                                             2014).
Family Phocidae (earless seals):

[[Page 19228]]

 
    Harbor seal.....................  Phoca vitulina........  Cook Inlet/Shelikof     -                     27,386 (unk, 25,651,          770        234
                                                               Strait.                                       2011).
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Endangered Species Act (ESA) status: Endangered (E), Threatened (T)/MMPA status: Depleted (D). A dash (-) indicates that the species is not listed
  under the ESA or designated as depleted under the MMPA. Under the MMPA, a strategic stock is one for which the level of direct human-caused mortality
  exceeds PBR or which is determined to be declining and likely to be listed under the ESA within the foreseeable future. Any species or stock listed
  under the ESA is automatically designated under the MMPA as depleted and as a strategic stock.
\2\ NMFS marine mammal stock assessment reports online at: www.nmfs.noaa.gov/pr/sars/. CV is coefficient of variation; Nmin is the minimum estimate of
  stock abundance. In some cases, CV is not applicable.
\3\ UND is an undetermined Potential Biological Removal (PBR)
\4\ These values, found in NMFS's SARs, represent annual levels of human-caused mortality plus serious injury from all sources combined (e.g.,
  commercial fisheries, ship strike). Annual M/SI often cannot be determined precisely and is in some cases presented as a minimum value or range. A CV
  associated with estimated mortality due to commercial fisheries is presented in some cases.

    In summary, eight marine mammal species, including five cetaceans 
and three pinnipeds, may be found within Cook Inlet during the project 
(Table 2). These are the Cook Inlet beluga whale, humpback whale, gray 
whale, killer whale, harbor porpoise, harbor seal, Steller sea lion and 
California sea lion. We refer the reader to the Federal Register notice 
for information regarding species previously considered. We provide a 
summary of the relevant information for the additional species (gray 
whale and California sea lion) below. Additional information regarding 
population trends and threats may be found in NMFS's Stock Assessment 
Reports (SAR; www.nmfs.noaa.gov/pr/sars/) and more general information 
about these species (e.g., physical and behavioral descriptions) may be 
found on NMFS's website (https://www.fisheries.noaa.gov/about/office-protected-resources).

Gray whales

    Each spring, the Eastern North Pacific stock of gray whale migrates 
8,000 km (5,000 mi) northward from breeding lagoons in Baja California 
to feeding grounds in the Bering and Chukchi seas, reversing their 
travel again in the fall (Rice and Wolman, 1971). Their migration route 
is for the most part coastal until they reach the feeding grounds. A 
small portion of whales do not annually complete the full circuit, as 
small numbers can be found in the summer feeding along the Oregon, 
Washington, British Columbia, and Alaskan coasts (Rice et al., 1984, 
Moore et al., 2007).
    Most gray whales migrate past the mouth of Cook Inlet to and from 
northern feeding grounds. However, small numbers of summering gray 
whales have been observed within Cook Inlet, mostly in the lower inlet 
(e.g., Owl Ridge, 2014). Gray whales have not been observed in the 
upper inlet; however, seismic surveys encompassing the middle and upper 
inlet (including the project area) have observed gray whales. On June 
1, 2012, there were three gray whale sightings during marine mammal 
monitoring for a seismic survey; the survey area included the pipeline 
project area (SAE, 2012). It is not known if this was the same animal 
observed multiple times or multiple individuals. A lone gray whale was 
also observed near the middle inlet in 2014 and in May 2015, what was 
believed to be a gray whale based on blow shape was observed during 
marine mammal monitoring conducted for seismic surveys (SAE 2014, 
2015).
    Threats to this species include ship strike, entanglement in 
fishing gear, and increased human use of more northern latitudes as ice 
melts (Caretta et al., 2015).

California Sea Lions

    California sea lions (Zalophus californianus) are distributed along 
the North Pacific waters from central Mexico to southeast Alaska, with 
breeding areas restricted primarily to island areas off southern 
California (the Channel Islands), Baja California, and in the Gulf of 
California (Wright et al., 2010). The population is comprised of five 
genetically distinct populations: The United States population that 
breeds on offshore islands in California; the western Baja California 
population that breeds offshore along the west coast of Baja 
California, Mexico; and three populations (southern, central and 
northern) that breed in the Gulf of California, Mexico. Males migrate 
long distances from the colonies during the winter whereas females and 
juveniles remain close the breeding areas. The approximate growth rate 
for this species is 5.4 percent annually (Caretta et al., 2004).
    California sea lions are very rare in Cook Inlet and typically are 
not observed farther north than southeast Alaska. However, NMFS' 
anecdotal sighting database contains four California sea lion sightings 
in Seward and Kachemak Bay (pers. comm., Kate Savage, NMFS, March 27, 
2018). In addition, an industry survey report contains a sighting of 
two California sea lions in lower Cook Inlet; however, it is unclear if 
these animals were indeed California sea lions or a mis-identified 
Steller sea lions (SAE, 2012). Regardless, in an abundance of caution, 
we have included take for California sea lions in the final IHA.
    Threats to this species include incidental catch and entanglement 
in fishing gear, such as gillnets; biotoxins, as a result of harmful 
algal blooms; and gunshot wounds and other human-caused injuries, as 
California sea lions are sometimes viewed as a nuisance by commercial 
fishermen (NOAA 2016).

Potential Effects of Specified Activities on Marine Mammals and Their 
Habitat

    In the ``Potential Effects of the Specified Activity on Marine 
Mammals and Their Habitat'' section of the notice of proposed IHA (83 
FR 8437, February 27, 2018), NMFS included a qualitative discussion of 
the different ways that Harvest's pipelines installation activities may 
potentially affect marine mammals. The information contained in the 
notice has not changed. Please refer to that notice for the full 
discussion. Below we provide a summary.
    The CIPL project has the potential to harass marine mammals from 
exposure to noise from working vessels (e.g., tugs pushing barges) and 
construction activities such as removing obstacles from the pipeline 
path, pulling pipelines, anchoring the barge, divers

[[Page 19229]]

working underwater with noise-generating equipment, trenching, etc. In 
this case, NMFS considers potential harassment from the collective use 
of vessels working in a concentrated area for an extended period of 
time and noise created when moving obstacles, pulling pipelines, 
trenching in the intertidal transition zone, and moving the barge two 
to three times per day using two tugs. Essentially, the project area 
will become be a concentrated work area in an otherwise non-industrial, 
serene setting. In addition, the presence of the staging area on land 
and associated work close to shore may harass hauled-out seals and sea 
lions.
    We anticipate effects of the project to be limited to masking and 
behavioral disturbance (e.g., avoidance, cessation of vocalizations, 
increased swim speeds, etc.). We do not anticipate auditory threshold 
shift, permanent (PTS) or temporary (TTS), to occur due to low source 
levels and the fact marine mammals species are unlikely to be exposed 
for periods of time needed to incur the potential for PTS or TTS from 
the sources involved with pipeline installation. We also do not 
anticipate marine mammals transiting to an intended destination to 
abandon the effort; we expect the length of any detour around working 
vessels to be minimal.

Estimated Take

    This section provides the number of incidental takes authorized 
through the IHA, which informed both NMFS' consideration of ``small 
numbers'' and the negligible impact determination.
    Harassment is the only type of take expected to result from these 
activities. Except with respect to certain activities not pertinent 
here, section 3(18) of the MMPA defines ``harassment'' as any act of 
pursuit, torment, or annoyance which (i) has the potential to injure a 
marine mammal or marine mammal stock in the wild (Level A harassment); 
or (ii) has the potential to disturb a marine mammal or marine mammal 
stock in the wild by causing disruption of behavioral patterns, 
including, but not limited to, migration, breathing, nursing, breeding, 
feeding, or sheltering (Level B harassment).
    Authorized takes would be by Level B harassment only, in the form 
of disruption of behavioral patterns individual marine mammals 
resulting from exposure to multiple working vessels and construction 
activities in a concentrated area. For reasons described in the Federal 
Register notice for the proposed IHA, Level A harassment is not 
anticipated or authorized. No mortality is anticipated or authorized 
for this activity. Below we describe how the take was quantified.
    Described in the most basic way, we estimate take by considering: 
(1) Acoustic thresholds above which NMFS believes the best available 
science indicates marine mammals will be behaviorally harassed or incur 
some degree of permanent hearing impairment; (2) the area or volume of 
water that will be ensonified above these levels in a day; (3) the 
density or occurrence of marine mammals within these ensonified areas; 
and, (4) and the number of days of activities. Below, we describe these 
components in more detail and present the authorized take estimate.

Acoustic Thresholds

    Using the best available science, NMFS uses acoustic thresholds 
that identify the received level of underwater sound above which 
exposed marine mammals would be reasonably expected to be behaviorally 
harassed (equated to Level B harassment) or to incur PTS of some degree 
(equated to Level A harassment).
    Level B Harassment for non-explosive sources--Though significantly 
driven by received level, the onset of behavioral disturbance from 
anthropogenic noise exposure is also informed to varying degrees by 
other factors related to the source (e.g., frequency, predictability, 
duty cycle), the environment (e.g., bathymetry), and the receiving 
animals (hearing, motivation, experience, demography, behavioral 
context) and can be difficult to predict (Southall et al., 2007, 
Ellison et al., 2011). Based on what the available science indicates 
and the practical need to use a threshold based on a factor that is 
both predictable and measurable for most activities, NMFS uses a 
generalized acoustic threshold based on received level to estimate the 
onset of behavioral harassment. NMFS predicts that marine mammals are 
likely to be behaviorally harassed in a manner we consider Level B 
harassment when exposed to underwater anthropogenic noise above 
received levels of 120 decibels (dB) re 1 micro pascal ([mu]Pa) (root 
means square (rms)) for continuous (e.g. vibratory pile-driving, 
drilling) and above 160 dB re 1 [mu]Pa (rms) for non-explosive 
impulsive (e.g., seismic airguns) or intermittent (e.g., scientific 
sonar) sources.
    Harvest's activity includes the use of multiple continuous sources 
and activities (e.g., vessels, pipe pulling) and therefore the 120 dB 
re 1 [mu]Pa (rms) threshold is applicable. As described above, in this 
case we believe it is not any one of these single sources alone that is 
likely to harass marine mammals, but a combination of sources and the 
physical presence of the equipment. We use this cumulative assessment 
approach below to identify ensonified areas and take estimates.
    Level A harassment for non-explosive sources--NMFS' Technical 
Guidance for Assessing the Effects of Anthropogenic Sound on Marine 
Mammal Hearing (NMFS, 2016b) identifies dual criteria to assess 
auditory injury (Level A harassment) to five different marine mammal 
groups (based on hearing sensitivity) as a result of exposure to noise 
from two different types of sources (impulsive or non-impulsive). 
Harvest's activity includes the use of non-impulsive (e.g., tugs 
pushing a barge, pipe pulling) sources.
    These thresholds are provided in the Table 3. The references, 
analysis, and methodology used in the development of the thresholds are 
described in NMFS 2016 Technical Guidance, which may be accessed at: 
http://www.nmfs.noaa.gov/pr/acoustics/guidelines.htm.

BILLING CODE 3510-22-P

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[GRAPHIC] [TIFF OMITTED] TN02MY18.000

BILLING CODE 3510-22-C

Ensonified Area

    Here, we describe operational and environmental parameters of the 
activity that will feed into identifying the area ensonified above the 
acoustic thresholds.
    When NMFS Technical Guidance (2016) was published, in recognition 
of the fact that ensonified area/volume could be more technically 
challenging to predict because of the duration component in the new 
thresholds, we developed a User Spreadsheet that includes tools to help 
predict a simple isopleth that can be used in conjunction with marine 
mammal density or occurrence to help predict takes. We note that 
because of some of the assumptions included in the methods used for 
these tools, we anticipate that isopleths produced will typically be 
overestimates of some degree, which will result in some degree of 
overestimate of Level A harassment. However, these tools offer the best 
way to predict appropriate isopleths when more sophisticated 3D 
modeling methods are not available. NMFS will continue to develop ways 
to quantitatively refine these tools, and will qualitatively address 
the output where appropriate. Although vessels are mobile, we are 
considering them stationary for purposes of this project due to the 
confined area of work. For stationary sources, NMFS' User Spreadsheet 
predicts the closest distance at which, if a marine mammal remained at 
that distance the whole duration of the activity, it would not incur 
PTS. Inputs used in the User Spreadsheet and the resulting isopleths 
are reported below.
    The sources and activities involved with the CIPL project are 
relatively low compared to other activities for which NMFS typically 
authorizes take (e.g., seismic surveys, impact pile driving). However, 
these sources will be operating for extended periods and NMFS' PTS 
thresholds now incorporate a time component. That time component is 
based on both the duration of the activity and the likely amount of 
time an animal would be exposed. To determine if there is

[[Page 19231]]

potential for PTS from the CIPL project, we considered operations may 
occur throughout the day and night, and despite tugs being on stand-by 
for much of the time, a full day (24 hours) was the most conservative 
approach for estimating potential for PTS. Therefore, we used a source 
level of 170 dB measured at 1 m (estimated tug noise), a practical 
spreading loss model (15logR), and the weighting factor adjustment 
(WFA) for vibratory pile driving as a proxy for vessels (2.5 kHz). The 
distances to PTS thresholds considering a 24 hour exposure duration is 
provided in Table 4. Based on these results, we do not anticipate the 
nature of the work has the potential to cause PTS in any marine mammal 
hearing group; therefore, we do not anticipate auditory injury (Level A 
harassment) will occur.

                Table 4--Distances to NMFS PTS Thresholds
------------------------------------------------------------------------
                                                            Distance to
                      Hearing group                        PTS threshold
                                                                (m)
------------------------------------------------------------------------
Low-frequency cetaceans.................................            22.6
Mid-frequency cetaceans.................................             2.0
High-frequency cetaceans................................            33.4
Phocids.................................................            13.8
Otarids.................................................             1.0
------------------------------------------------------------------------

    Each construction phase involves multiple pieces of equipment that 
provide physical and acoustic sources of disturbance. For this project, 
we anticipate the ensonified area to shift as the project progresses 
along the pipeline corridor. That is, at the onset of the project, work 
will be concentrated in the intertidal zone close to shore and, as work 
continues, moving offshore towards the Tyonek platform. We also 
anticipate that the sound field generated by the combination of several 
sources will expand and contract as various construction related 
activities are occurring. For example, pushing the barge may require 
tugs to use increased thruster power, which would likely result in 
greater distances to the 120 dB re 1 [mu]Pa threshold in comparison to 
general movement around the area. Therefore, calculating an ensonified 
area for the entire pipeline corridor would be a gross overestimate and 
we offer an alternative here.
    Because we consider the potential for take from the combination of 
multiple sources (and not any given single source), we estimate the 
ensonified area to be a rectangle centered along the pipeline corridor 
which encompasses all in-water equipment and a buffer around the 
outside of the cluster of activities constituting the distance 
calculated to the 120 dB threshold from one tug (i.e., 2,200 m). NMFS 
determined a tug source level (170 dB re: 1 [mu]Pa) for the duration of 
the project would be a reasonable step in identifying an ensonified 
zone since tugs would be consistently operating in some manner, and 
other sources of noise (e.g., trenching, obstacle removal, underwater 
tools) are all expected to produce less noise. Anchor handling during 
barge relocation is also a source of noise during the project; however, 
we believe using the tug is most appropriate. NMFS is aware of anchor 
handling noise measurements made in the Arctic during a Shell Oil 
exploratory drilling program that produced a noise level of 143 dB re 1 
[mu]Pa at 860 m (LGL et al., 2014). However, that measurement was 
during deployment of 1 of 12 anchors in an anchor array system 
associated with a large drill rig and it would be overly conservative 
to adopt here.
    Although vessels and equipment (e.g., tugs, support vessels, barge) 
spacing would vary during the course of operations, a single layout 
must be assumed for modeling purposes. We assume the barge used for 
pipe pulling and supporting trenching and stabilization is placed in 
the middle of a group of vessels and directly in line with the pipeline 
corridor. The sonar and dive boats would also be concentrated along the 
pipeline corridor path. We conservatively assume tugs would be spaced 
approximately 0.5 km from the barge/pipeline corridor during stand-by 
mode and could be on opposite sides of the corridor. Also, vessels and 
equipment would shift from nearshore to offshore as the project 
progresses. For simplicity, we divided the pipeline corridor (8.9 km) 
in half for our ensonified area model because each pipe pulled would be 
approximately 4.45 km each. We then considered the estimated distance 
to the 120 dB threshold from the tug (2.2 km). We then doubled that 
distance and adjusted for a 0.5 km distance from the pipeline corridor 
to account for noise propagating on either side of a tug. We used those 
distances to calculate the area of the rectangle centered around the 
pipeline corridor (Area = length x width or A = 4.45 km x ((2.2 km + 
0.5km) x 2) for a Level B ensonified area of 24.03 km\2\. As the work 
continues, this area would gradually shift from nearshore to farther 
offshore, terminating at the Tyonek platform.

Marine Mammal Occurrence

    In this section we provide the information about the presence, 
density, or group dynamics of marine mammals that will inform the take 
calculations.
    There are eight marine mammal species that have the potential to 
occur within the action area from April through October. The NMFS 
National Marine Mammal Laboratory (NMML) maintains a database of Cook 
Inlet marine mammal observations collected by NOAA and U.S. Coast Guard 
personnel, fisheries observers, fisheries personnel, ferry operators, 
tourists, or other private boat operators. NMFS also collects anecdotal 
accounts of marine mammal sightings and strandings in Alaska from 
fishing vessels, charter boat operators, aircraft pilots, NMFS 
enforcement officers, Federal and state scientists, environmental 
monitoring programs, and the general public. These data were used to 
inform take estimates.
    Empirical estimates of beluga density in Cook Inlet are difficult 
to produce. One of the most robust is the Goetz et al. (2012) model 
based on beluga sighting data from NMFS aerial surveys from 1994 to 
2008. The model incorporated several habitat quality covariates (e.g., 
water depth, substrate, proximity to salmon streams, proximity to 
anthropogenic activity, etc.) and related the probability of a beluga 
sighting (presence/absence) and the group size to these covariates. The 
probability of beluga whale presence within the project area from April 
through September is 0.001 belugas per km\2\. Moving into October and 
the winter, density is likely to increase; however, Harvest anticipates 
all work will be completed no later than September.
    Harvest provided density estimates for all other species with 
likely occurrence in the action area in their IHA application; however, 
data used to generate those densities do not incorporate survey efforts 
beyond 2011. Therefore, we developed new density estimates based on 
data collected during NMFS aerial surveys conducted from 2001 to 2016 
(Rugh et al. 2005; Shelden et al. 2013, 2015, 2017). The numbers of 
animals observed over the 14 survey years were summed for each species. 
The percent area of survey effort for each year (range 25 to 40 
percent) was used to calculate the area surveyed which was summed for 
all years (Rugh et al. 2005; Shelden et al. 2013, 2015, 2017). Density 
estimates were then derived by dividing the total number of each 
species sighted during the survey by the total area of survey coverage 
(Table 5).

[[Page 19232]]



  Table 5--Density Estimates for Marine Mammals Potentially Present Within the Action Area Based on Cook Inlet-
                                       Wide NMFS Aerial Surveys 2001-2016
----------------------------------------------------------------------------------------------------------------
                                                                                                     Estimated
                                                                     Number of                        density
                             Species                                  animals      Area (km\2\)       (number
                                                                                                  animals/km\2\)
----------------------------------------------------------------------------------------------------------------
CI beluga whale.................................................               -               -       \1\ 0.001
Humpback whale..................................................             204          87,123          0.0023
Killer whale....................................................              70          87,123          0.0008
Harbor porpoise.................................................             377          87,123           0.004
Harbor seal.....................................................          23,912          87,123          0.2745
Steller sea lion................................................        \2\ 74.1          87,123         0.00085
Gray whale......................................................              10          87,123         0.00011
California sea lion \3\.........................................               0          87,123               0
----------------------------------------------------------------------------------------------------------------
\1\ CI beluga whale density based on Goetz et al. (2012).
\2\ Actual counts of Steller sea lions was 741; however, it is well documented this species almost exclusively
  inhabits the lower inlet south of the Forelands with rare sightings in the northern inlet. Therefore, we
  adjusted the number of animals observed during the NMFS surveys (which cover the entire inlet) by 1/10 to
  account for this skewed concentration.
\3\ This species has not been documented in the project area during the referenced surveys; however, an
  occasional, rare sighting has been made during industry-supported surveys.

Take Calculation and Estimation

    The method for calculating take was described in the Federal 
Register notice for the proposed IHA and is summarized here with a 
description of modifications. Take was first calculated using a 
density-based method (Take = density x ensonified area x project days). 
As an example, for beluga whales, the estimated take is calculated as 
24.03 km\2\ x 0.001 x 108 days for a total of 2.59 belugas. However, 
for this and other species, we also consider additional sighting data 
(e.g., industry surveys, anecdotal sightings), anticipated residency 
time, and group size. From that analysis, we derived an authorized take 
level. In general, the amount of authorized take is an increase from 
the proposed numbers. In consideration of the nature of project 
activities (inability to shut down for some activities), we determined 
an increase in take numbers was warranted. Table 6 provides the results 
from our final take analysis.

                   Table 6--Quantitative Assessment of Authorized Take, by Level B Harassment
----------------------------------------------------------------------------------------------------------------
                                                                    Calculated     Average group    Authorized
                     Species                          Density         take\1\          size       take (Level B)
----------------------------------------------------------------------------------------------------------------
CI beluga whale.................................           0.001            2.59               8          \2\ 40
Humpback whale..................................          0.0023            5.07             1-2               5
Killer whale....................................          0.0008            1.77               5          \3\ 10
Harbor porpoise.................................           0.004            8.83         \4\ 1-3         \4\ 100
Harbor seal.....................................          0.2745          605.67        \5\ 1-10         \6\ 972
Steller sea lion................................         0.00085            1.88             1-2           \7\ 6
Gray whale......................................         0.00011           0.285               1           \8\ 5
California sea lion.............................               0               0               1           \9\ 5
----------------------------------------------------------------------------------------------------------------
\1\ Calculated Take = density x ensonifed area (24.03 km\2\) x # of project days (108).
\2\ The proposed take amount was 29 beluga whales which reflected the potential for one group of eight belugas
  per month or two groups of four animals per month. We increased to 40 authorized takes to account for
  possibility animals may be more frequent than originally assessed and to account for potential for one to two
  large group (up to 20 whales) to come within ensonified area during activities.
\3\ Adjusted take is based on two groups of five animals.
\4\ Average group size from Sheldon et al. 2014. Authorized take adjusted to account for known increase in
  harbor porpoise occurrence in upper Cook Inlet in recent years and is approximately 50% of the number of
  harbor porpoise observed during industry marine mammal surveys (n=190) near the action area.
\5\ Represents range of group sizes observed during a seismic survey in the middle Inlet from May 6 through
  September 30, 2012 (Lomac-MacNair et al., 2012).
\6\ The proposed IHA used density-based method for proposed take; however, we have adjusted based on the maximum
  of 9 harbor seals observed during aerial surveys in the project area based on NMFS aerial surveys from 1997-
  2011 (9 seals/day x 108 days = 972).
\7\ As in the proposed IHA, we consider the potential for 1-2 Steller sea lions to remain in the area for
  multiple days.
\8\ We have authorized five takes of gray whales in the rare chance they enter the ensonified area and
  operations cannot be shut down.
\9\ We have authorized five takes of California sea lions in the rare chance they enter the ensonified area and
  operations cannot be shut down.

    Cook Inlet beluga whales are expected to be transiting through the 
action area in group sizes ranging from 3 to 14 animals with an average 
of 8 animals/group. These group sizes are based on NMFS aerial surveys 
and anecdotal reports near Tyonek from April through October (pers 
comm. K Sheldon, January 25, 2018). Harvest requested take for up to 29 
beluga whales in anticipation that one group of 8 animals may pass 
through the action area once per month for the duration of the project 
(i.e., 8 animals/group x 1 group/month x 3.6 months). However, during 
the public comment period, we considered, in more detail, the number of 
animals that could pass through the action area during operations that 
could result in take. Specifically, a 2012 June monitoring report (SAE 
2012) reported an unusually high number of sightings are marine 
mammals, including many at river mouths south of the project area. If 
we consider the potential for those groups to move north to the Beluga 
River/Susitna, Knik and Turnigan Arm

[[Page 19233]]

areas, there is a possibility animals could enter Harvest's ensonified 
zone. If operations (e.g., pile pulling, barge moving) has already 
begun, these activities are not able to cease due to operational and 
safety concerns. Therefore, in the IHA, we have authorized up to 40 
beluga whales to be taken by Level B harassment.
    We also considered group size for other cetaceans. Killer whales 
have the potential to travel through the project area in groups 
exceeding the take calculated based on density. Because sighting data 
indicates killer whales are not common in the Upper Inlet, we 
anticipated one group to pass through the project area in the proposed 
IHA but have increased this to two groups for a total authorized take 
of 10 killer whales. For harbor porpoise, we considered the density-
based take calculation to be great enough to encompass their small 
group size (n=8); however, harbor porpoise sightings in the mid- to 
upper inlet have increased in recent years. Despite them typically 
occurring in the lower inlet, we have increased the authorized amount 
of take to 100 individuals, which is approximately 50 percent of the 
individuals observed during the 2012 industry survey (n = 190). We did 
not authorize the same amount of individuals observed considering the 
industry survey area was much larger than the harassment zone for the 
CIPL project and extended lower in the inlet where harbor porpoise are 
more common.
    Harbor seals and Steller sea lions are expected to occur as 
solitary animals or in small groups and may linger in the action area 
moreso than transiting cetaceans. Harbor seal takes estimates based on 
density reflect a likely occurrence, so we did not adjust authorized 
take levels. However, Steller sea lion density calculations produce an 
estimated take of one animal during the entire project. While Steller 
sea lions are rare in the action area, this species may not be solitary 
and may also remain in the action area for multiple days. In 2009, a 
Steller sea lion was observed three times during Port of Anchorage 
construction (ICRC 2009). During seismic survey marine mammal 
monitoring, Steller sea lions were observed in groups of one to two 
animals during two of three years of monitoring (Lomac-MacNair 2013, 
2015). Therefore, we increased the amount of take to six Steller sea 
lions to account for up to two animals to be observed over the course 
of three days (i.e., two animals exposed three times).
    Harvest did not request, and we did not propose, take for any other 
species in our proposed IHA notice. However, we have included take for 
gray whales and California sea lions in the final IHA. It is unlikely 
these species would come within the project area; however, in the 
Description of Marine Mammals in the Area of Specified Activities 
section, we describe sightings of these species during industry surveys 
and anecdotal sightings. Because some activities may not be able to 
cease once they begin, we have authorized take for these species (Table 
6).

Effects of Specified Activities on Subsistence Uses of Marine Mammals

    The availability of the affected marine mammal stocks or species 
for subsistence uses may be impacted by this activity. The subsistence 
uses that may be affected and the potential impacts of the activity on 
those uses are described below. Measures included in this IHA to reduce 
the impacts of the activity on subsistence uses are described in the 
Mitigation section. The information from this section and the 
Mitigation section is analyzed to determine whether the necessary 
findings may be made in the Unmitigable Adverse Impact Analysis and 
Determination section.
    The villages of Tyonek, Ninilchik, Anchor Point, and Kenai use the 
upper Cook Inlet area for subsistence activities. These villages 
regularly harvest harbor seals (Wolfe et al., 2009). Based on 
subsistence harvest data, Kenai hunters harvested an about 13 harbor 
seals on average per year, between 1992 and 2008, while Tyonek hunters 
only harvested about 1 seal per year (Wolfe et al., 2009). 
Traditionally Tyonek hunters harvest seals at the Susitna River mouth 
(located approximately 20 mi from the project area) incidental to 
salmon netting, or during boat-based moose hunting trips (Fall et al., 
1984). Alaska Natives are permitted to harvest Steller sea lions; 
however, this species is rare in mid- and upper Cook Inlet, as is 
reflected in the subsistence harvest data. For example, between 1992 
and 2008, Kenai hunters reported only two sea lions harvested and none 
were reported by Tyonek hunters (Wolfe et al., 2008). Sea lions are 
more common in lower Cook Inlet and are regularly harvested by villages 
well south of the project area, such as Seldovia, Port Graham, and 
Nanwalek.
    Cook Inlet beluga subsistence harvest has been placed under a 
series of moratoriums beginning 1999. Only five beluga whales have been 
harvested since 1999. Future subsistence harvests are not planned until 
after the 5-year population average has grown to at least 350 whales. 
Based on the most recent population estimates, no beluga harvest will 
be authorized in 2018.
    Harvest's proposed pipeline construction activities would not 
impact the availability of marine mammals for subsistence harvest in 
Cook Inlet due to the proximity of harvest locations to the project 
(for harbor seals) and the general lack of Steller sea lion harvest. 
Beluga subsistence harvest is currently under moratorium. Further, 
animals that are harassed from the project are expected to elicit 
behavioral changes that are short-term, mild, and localized.

Mitigation

    In order to issue an IHA under Section 101(a)(5)(D) of the MMPA, 
NMFS must set forth the permissible methods of taking pursuant to such 
activity, and other means of effecting the least practicable impact on 
such species or stock and its habitat, paying particular attention to 
rookeries, mating grounds, and areas of similar significance, and on 
the availability of such species or stock for taking for certain 
subsistence uses. NMFS regulations require applicants for incidental 
take authorizations to include information about the availability and 
feasibility (economic and technological) of equipment, methods, and 
manner of conducting such activity or other means of effecting the 
least practicable adverse impact upon the affected species or stocks 
and their habitat (50 CFR 216.104(a)(11)).
    In evaluating how mitigation may or may not be appropriate to 
ensure the least practicable adverse impact on species or stocks and 
their habitat, as well as subsistence uses where applicable, we 
carefully consider two primary factors:
    (1) The manner in which, and the degree to which, the successful 
implementation of the measure(s) is expected to reduce impacts to 
marine mammals, marine mammal species or stocks, and their habitat, as 
well as subsistence uses. This considers the nature of the potential 
adverse impact being mitigated (likelihood, scope, range). It further 
considers the likelihood that the measure will be effective if 
implemented (probability of accomplishing the mitigating result if 
implemented as planned) the likelihood of effective implementation 
(probability implemented as planned) and;
    (2) The practicability of the measures for applicant 
implementation, which may consider such things as cost, impact on 
operations, and, in the case of a military readiness activity, 
personnel safety, practicality of implementation, and impact on the

[[Page 19234]]

effectiveness of the military readiness activity.
    NMFS anticipates the project will create an acoustic footprint 
above baseline of approximately 24 km\2\ around the concentration of 
vessels and operational activities. There is a discountable potential 
for marine mammals to incur PTS from the project as source levels are 
relatively low, non-impulsive, and animals would have to remain at very 
close distances for multiple hours, to accumulate acoustic energy at 
levels which could damage hearing. Therefore, we do not believe there 
is potential for Level A harassment and there is no designated shut-
down/exclusion zone established for this project. However, Harvest will 
implement a number of mitigation measures designed to reduce the 
potential for and severity of Level B harassment and minimize the 
acoustic footprint of the project.
    Harvest will establish a 2,200 m safety zone from working vessels 
and along the pipeline corridor and employ NMFS-approved protected 
species observers (PSOs) to conduct marine mammal monitoring for the 
duration of the project. Prior to commencing activities for the day or 
if there is a 30-minute lapse in operational activities, the PSO will 
monitor the safety zone for marine mammals for 30 minutes. If no marine 
mammals are observed, operations may commence. If a marine mammal(s) is 
observed within the safety zone during the clearing, the PSO will 
continue to watch until either: (1) The animal(s) is outside of and on 
a path away from the safety zone; or (2) 15 minutes have elapsed. Once 
the PSO has determined one of those conditions are met, operations may 
commence.
    Should a marine mammal be observed during pipe-pulling, the PSO 
will monitor and carefully record any reactions observed until the pipe 
is secure. No new operational activities would be started until the 
animal leaves the area. PSOs will also collect behavioral information 
on marine mammals beyond the safety zone.
    Other measures to minimize the acoustic footprint of the project 
include: The dive boat, sonar boat, work boat, and crew boat will be 
tied to the barge or anchored with engines off when practicable; all 
vessel engines will be placed in idle when not working if they cannot 
be tied up to the barge or anchored with engines off; and all sonar 
equipment will operate at or above 200 kHz.
    Finally, Harvest would abide by NMFS marine mammal viewing 
guidelines while operating vessels or land-based personnel (for hauled-
out pinnipeds); including not actively approaching marine mammals 
within 100 yards (in-water or on land) and slowing vessels to the 
minimum speed necessary. NMFS Alaska Marine Mammal Viewing Guidelines 
may be found at https://alaskafisheries.noaa.gov/pr/mm-viewing-guide.
    The mitigation measures are designed to minimize Level B harassment 
by avoiding starting work while marine mammals are in the project area, 
lowering noise levels released into the environment through vessel 
operation protocol (e.g., tying vessels to barges, operating sonar 
equipment outside of marine mammal hearing ranges) and following NMFS 
marine mammal viewing guidelines. There are no known marine mammal 
feeding areas, rookeries, or mating grounds in the project area that 
would otherwise potentially warrant increased mitigation measures for 
marine mammals or their habitat. The proposed project area is within 
beluga whale critical habitat; however, use of the habitat is higher in 
fall and winter when the project would not occur nor would habitat be 
permanently impacted other than the presence of the pipelines on the 
seafloor. Thus mitigation to address beluga whale critical habitat is 
not warranted. Finally, the mitigation measures are practicable for the 
applicant to implement. NMFS has determined that the mitigation 
measures provide the means of effecting the least practicable impact on 
the affected species or stocks and their habitat, paying particular 
attention to rookeries, mating grounds, and areas of similar 
significance.

Monitoring and Reporting

    In order to issue an IHA for an activity, section 101(a)(5)(D) of 
the MMPA states that NMFS must set forth, requirements pertaining to 
the monitoring and reporting of such taking. The MMPA implementing 
regulations at 50 CFR 216.104 (a)(13) indicate that requests for 
authorizations must include the suggested means of accomplishing the 
necessary monitoring and reporting that will result in increased 
knowledge of the species and of the level of taking or impacts on 
populations of marine mammals that are expected to be present in the 
proposed action area. Effective reporting is critical both to 
compliance as well as ensuring that the most value is obtained from the 
required monitoring.
    Monitoring and reporting requirements prescribed by NMFS should 
contribute to improved understanding of one or more of the following:
     Occurrence of marine mammal species or stocks in the area 
in which take is anticipated (e.g., presence, abundance, distribution, 
density);
     Nature, scope, or context of likely marine mammal exposure 
to potential stressors/impacts (individual or cumulative, acute or 
chronic), through better understanding of: (1) Action or environment 
(e.g., source characterization, propagation, ambient noise); (2) 
affected species (e.g., life history, dive patterns); (3) co-occurrence 
of marine mammal species with the action; or (4) biological or 
behavioral context of exposure (e.g., age, calving or feeding areas);
     Individual marine mammal responses (behavioral or 
physiological) to acoustic stressors (acute, chronic, or cumulative), 
other stressors, or cumulative impacts from multiple stressors;
     How anticipated responses to stressors impact either: (1) 
Long-term fitness and survival of individual marine mammals; or (2) 
populations, species, or stocks;
     Effects on marine mammal habitat (e.g., marine mammal prey 
species, acoustic habitat, or other important physical components of 
marine mammal habitat); and
     Mitigation and monitoring effectiveness.
    Harvest will abide by all monitoring and reporting measures 
contained within their Marine Mammal Monitoring and Mitigation Plan, 
dated March 15, 2018, with the additional condition described below 
regarding number and location of observers. This plan was revised from 
the original that was available for public comment. During the public 
comment period, Harvest found that there was limited space on the 
vessels and safety issues prevented a PSO from being placed on the 
barge. In the revised plan, Harvest moved the PSO from vessel-based to 
land- or Tyonek Platform- based. Harvest proposed that during the 
beginning of the project when activities are occurring close to shore, 
a PSO will be positioned on a 100-foot high bluff at Ladd Landing, 
which provides a marine mammal sighting distance of approximately 3 mi. 
As work progresses toward the Tyonek Platform, the PSO shall be 
stationed on the Tyonek platform which also provides for an 
approximately 100-foot high observation point. The elevation of both 
these observation points provides advantages than working aboard a 
single vessel. However, NMFS determined that a single land-based 
observer was not sufficient and is therefore requiring monitoring based 
on where along the

[[Page 19235]]

pipeline corridor activities are occurring. That is, a PSO shall be 
stationed at Ladd Landing when activities are occurring 0-2 km from 
shore. A PSO shall be stationed at the Tyonek Platform when activities 
are occurring greater than 6.5 km from shore. When project activities 
are occurring from 2 to 6.5 km from shore, a PSO shall be stationed at 
both Ladd Landing and the Tyonek Platform. All other monitoring 
measures included in the proposed IHA and in Harvest's monitoring plan 
remain in effect. NMFS has also included a provision in the IHA that 
PSOs will report on detectability and estimated range of observer 
coverage during all marine mammal monitoring shifts. Please see the 
IHA, posted at https://www.fisheries.noaa.gov/node/23111, for the 
complete set of reporting requirements.
    In recognition of the status of Cook Inlet beluga whales, Harvest 
is required to submit weekly reports to NMFS documenting marine mammal 
observations, behavior, and ability to detect marine mammals within the 
monitoring zone. If Harvest fails to abide by the mitigation, 
monitoring and/or reporting conditions contained within the IHA or NMFS 
determines the authorized taking is having more than a negligible 
impact on the species or stock of affected marine mammals, NMFS may 
modify the mitigation or monitoring measures if doing so creates a 
reasonable likelihood of more mitigation and monitoring leading to 
reduced impacts. Possible sources of new data that could contribute to 
the decision to modify the mitigation or monitoring measures include: 
results from Harvest's marine mammal monitoring report, information 
from beluga whale researchers, and information from subsistence users 
or local community residents.

Negligible Impact Analysis and Determination

    NMFS has defined negligible impact as an impact resulting from the 
specified activity that cannot be reasonably expected to, and is not 
reasonably likely to, adversely affect the species or stock through 
effects on annual rates of recruitment or survival (50 CFR 216.103). A 
negligible impact finding is based on the lack of likely adverse 
effects on annual rates of recruitment or survival (i.e., population-
level effects). An estimate of the number of takes alone is not enough 
information on which to base an impact determination. In addition to 
considering estimates of the number of marine mammals that might be 
``taken'' through harassment, NMFS considers other factors, such as the 
likely nature of any responses (e.g., intensity, duration), the context 
of any responses (e.g., critical reproductive time or location, 
migration), as well as effects on habitat, and the likely effectiveness 
of the mitigation. We also assess the number, intensity, and context of 
estimated takes by evaluating this information relative to population 
status. Consistent with the 1989 preamble for NMFS's implementing 
regulations (54 FR 40338; September 29, 1989), the impacts from other 
past and ongoing anthropogenic activities are incorporated into this 
analysis via their impacts on the environmental baseline (e.g., as 
reflected in the regulatory status of the species, population size and 
growth rate where known, ongoing sources of human-caused mortality, or 
ambient noise levels). To avoid repetition, our analysis applies to all 
the species listed in Table 6, given that NMFS expects the anticipated 
effects of the pipeline installation activities to be similar in 
nature. Where there are meaningful differences between species or 
stocks, or groups of species, in anticipated individual responses to 
activities, impact of expected take on the population due to 
differences in population status, or impacts on habitat, NMFS has 
identified species-specific factors to inform the analysis.
    Marine mammal habitat may be impacted by elevated sound levels, but 
these impacts would be temporary. In addition to being temporary and 
short in overall duration, the acoustic footprint of the pipeline 
installation activities is small relative to the overall distribution 
of the animals in the area and their use of the area. Feeding behavior 
is not likely to be significantly impacted, as no areas of biological 
significance for marine mammal feeding are known to exist in the survey 
area. For beluga whales, there are no major river outfalls which 
provide prey within the action area.
    The proposed project would create an acoustic footprint around the 
project area for an extended period time (3.6 months) from April 
through September. Noise levels within the footprint would reach or 
exceed 120 dB rms. We anticipate the 120 dB footprint to be limited to 
20km\2\ around the cluster of vessels and equipment used to install the 
pipelines. The habitat within the footprint is not heavily used by 
marine mammals during the project time frame (e.g., Critical Habitat 
Area 2 is designated for beluga fall and winter use) and marine mammals 
are not known to engage in critical behaviors associated with this 
portion of Cook Inlet (e.g., no known breeding grounds, foraging 
habitat, etc.). Most animals will likely be transiting through the 
area; therefore, exposure would be brief. Animals may swim around the 
project area but we do not expect them to abandon any intended path. We 
also expect the number of animals exposed to be small relative to 
population sizes. Finally, Harvest will minimize potential exposure of 
marine mammals to elevated noise levels by not commencing operational 
activities if marine mammals are observed within the ensonified area.
    In summary and as described above, the following factors primarily 
support our determination that the impacts resulting from this activity 
are not expected to adversely affect the species or stock through 
effects on annual rates of recruitment or survival:
     No mortality is anticipated or authorized;
     The project does not involve noise sources capable of 
inducing PTS and no injury is anticipated or authorized;
     Exposure would likely be brief given transiting behavior 
of marine mammals in the action area, resulting in, at most, temporary 
avoidance and modification to vocalization behavior, and diverting 
around the project area;
     The project area does not contain concentrated foraging, 
mating, or breeding habitat;
     Marine mammal densities are low in the project area and 
the number of marine mammals potentially taken is small compared to the 
population size; and
     Harvest would monitor for marine mammals daily and 
minimize exposure to operational activities as required in the IHA.
    Based on the analysis contained herein of the likely effects of the 
specified activity on marine mammals and their habitat, and taking into 
consideration the implementation of the monitoring and mitigation 
measures, NMFS finds that the total marine mammal take from the 
proposed activity will have a negligible impact on all affected marine 
mammal species or stocks.

Small Numbers

    As noted above, only small numbers of incidental take may be 
authorized under Section 101(a)(5)(D) of the MMPA for specified 
activities other than military readiness activities. The MMPA does not 
define small numbers and so, in practice, where estimated numbers are 
available, NMFS compares the number of individuals taken to the most 
appropriate estimation of abundance of the relevant species or stock in 
our determination of whether an

[[Page 19236]]

authorization is limited to small numbers of marine mammals. 
Additionally, qualitative factors may be considered in the analysis, 
such as the temporal or spatial scale of the activities.
    Table 7 provides the quantitative analysis informing our small 
numbers determination. For most species, the amount of take proposed is 
less than 3.5 percent of all stocks except beluga whales. For beluga 
whales, the amount of take proposed represents 12.8 percent of the 
population.

                      Table 7--Percent of Stock Proposed To Be Taken by Level B Harassment
----------------------------------------------------------------------------------------------------------------
                                                                     Abundance     Proposed take       % of
              Species                           Stock                 (Nbest)        (Level B)      population
----------------------------------------------------------------------------------------------------------------
Beluga whale.......................  Cook Inlet.................             312          \2\ 40            12.8
Humpback whale.....................  Central North Pacific......          10,103               5            0.04
Killer whale.......................  Alaska Resident............           2,347  ..............             0.4
                                     Gulf of Alaska, Aleutian,               587          \3\ 10             1.7
                                      Bering Sea Transient.
Harbor porpoise....................  Gulf of Alaska.............          31,046             100             0.3
Harbor seal........................  Cook Inlet/Shelikof Strait.          27,386             972             3.5
Steller sea lion...................  Western U.S................          50,983               6            0.01
Gray whale.........................  Eastern North Pacific......          20,990               5            0.02
California sea lion................  U.S........................         296,750               5           0.001
----------------------------------------------------------------------------------------------------------------

    Based on the analysis contained herein of the proposed activity 
(including the mitigation and monitoring measures) and the anticipated 
take of marine mammals, NMFS finds that small numbers of marine mammals 
will be taken relative to the population size of the affected species 
or stocks.

Unmitigable Adverse Impact Analysis and Determination

    In order to issue an IHA, NMFS must find that the specified 
activity will not have an ``unmitigable adverse impact'' on the 
subsistence uses of the affected marine mammal species or stocks by 
Alaskan Natives. NMFS has defined ``unmitigable adverse impact'' in 50 
CFR 216.103 as an impact resulting from the specified activity (1) that 
is likely to reduce the availability of the species to a level 
insufficient for a harvest to meet subsistence needs by (i) causing the 
marine mammals to abandon or avoid hunting areas; (ii) directly 
displacing subsistence users; or (iii) placing physical barriers 
between the marine mammals and the subsistence hunters; and (2) that 
cannot be sufficiently mitigated by other measures to increase the 
availability of marine mammals to allow subsistence needs to be met.
    The village of Tyonek engages in subsistence harvests; however, 
these efforts are concentrated in areas such as the Susitna Delta where 
marine mammals are known to occur in greater abundance. Harbor seals 
are the only species taken by Alaska Natives that may also be harassed 
by the proposed project. However, any harassment to harbor seals is 
anticipated to be short-term, mild, and not result in any abandonment 
or behaviors that would make the animals unavailable to Alaska Natives.
    Based on the description of the specified activity, the measures 
described to minimize adverse effects on the availability of marine 
mammals for subsistence purposes, and the mitigation and monitoring 
measures, NMFS has determined there will not be an unmitigable adverse 
impact on subsistence uses from Harvest's proposed activities.

Endangered Species Act (ESA)

    Section 7(a)(2) of the Endangered Species Act of 1973 (ESA: 16 
U.S.C. 1531 et seq.) requires that each Federal agency insure that any 
action it authorizes, funds, or carries out is not likely to jeopardize 
the continued existence of any endangered or threatened species or 
result in the destruction or adverse modification of designated 
critical habitat. To ensure ESA compliance for the issuance of IHAs, 
NMFS consults internally, in this case with Alaska Regional Office, 
whenever we propose to authorize take for endangered or threatened 
species.
    On April 25, 2018, NMFS Alaska Region issued a Biological Opinion 
to NMFS Office of Protected Resources which concluded Harvest's CIPL 
project is not likely to jeopardize the continued existence of Cook 
Inlet beluga whales, the WDPS Steller sea lions, or Mexico and Western 
North Pacific humpback whales DPSs or destroy or adversely modify 
critical habitat.

Authorization

    NMFS has issued an IHA to Harvest for the harassment of small 
numbers of eight marine mammal species incidental to pipeline 
installation activities in Cook Inlet, provided the previously 
mentioned mitigation, monitoring and reporting requirements are 
incorporated.

Donna S. Wieting,
Director, Office of Protected Resources, National Marine Fisheries 
Service.
[FR Doc. 2018-09242 Filed 5-1-18; 8:45 am]
 BILLING CODE 3510-22-P



                                               19224                         Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices

                                               DEPARTMENT OF COMMERCE                                  impact on the species or stock(s), will               Significant Impact. NMFS’ EA and
                                                                                                       not have an unmitigable adverse impact                FONSI are available at https://
                                               National Oceanic and Atmospheric                        on the availability of the species or                 www.fisheries.noaa.gov/node/23111.
                                               Administration                                          stock(s) for subsistence uses (where
                                                                                                                                                             Description of Proposed Activity
                                                                                                       relevant), and if the permissible
                                               RIN 0648–XF957                                                                                                  The proposed CIPL project includes
                                                                                                       methods of taking and requirements
                                                                                                       pertaining to the mitigation, monitoring              the installation of two new steel subsea
                                               Takes of Marine Mammals Incidental to
                                                                                                       and reporting of such takings are set                 pipelines in the waters of Cook Inlet.
                                               Specified Activities; Taking Marine
                                                                                                       forth.                                                Work includes moving subsea obstacles
                                               Mammals Incidental to the Cook Inlet
                                                                                                          NMFS has defined ‘‘negligible                      out of the pipeline corridor, pulling two
                                               Pipeline Cross Inlet Extension Project
                                                                                                       impact’’ in 50 CFR 216.103 as an impact               pipelines (one oil, one gas) into place on
                                               AGENCY:  National Marine Fisheries                      resulting from the specified activity that            the seafloor, securing pipelines with
                                               Service (NMFS), National Oceanic and                    cannot be reasonably expected to, and is              sandbags, and connecting the pipelines
                                               Atmospheric Administration (NOAA),                      not reasonably likely to, adversely affect            to the existing Tyonek platform. The
                                               Commerce.                                               the species or stock through effects on               positioning and installation of the
                                               ACTION: Notice; issuance of incidental                  annual rates of recruitment or survival.              offshore pipeline would be
                                               harassment authorization.                                  NMFS has defined ‘‘unmitigable                     accomplished using a variety of pipe
                                                                                                       adverse impact’’ in 50 CFR 216.103 as                 pulling, positioning, and securing
                                               SUMMARY:   In accordance with the                       an impact resulting from the specified                methods supported by dive boats, tug
                                               regulations implementing the Marine                     activity:                                             boats, and/or barges and winches. Work
                                               Mammal Protection Act (MMPA), as                           (1) That is likely to reduce the                   would be limited to the pipeline
                                               amended, notification is hereby given                   availability of the species to a level                corridor from Ladd Landing to the
                                               that NMFS has issued an incidental                      insufficient for a harvest to meet                    Tyonek Platform and could occur for up
                                               harassment authorization (IHA) to                       subsistence needs by: (i) Causing the                 to 108 days. The installation of the
                                               Harvest Alaska, LLC (Harvest), to                       marine mammals to abandon or avoid                    subsea pipelines, specifically presence
                                               incidentally take, by Level B                           hunting areas; (ii) directly displacing               of and noise generated from work
                                               harassment, eight species of marine                     subsistence users; or (iii) placing                   vessels, has the potential to take marine
                                               mammals incidental to oil and gas                       physical barriers between the marine                  mammals by harassment. NMFS has
                                               pipeline installation activities                        mammals and the subsistence hunters;                  authorized Harvest to take small
                                               associated with the Cook Inlet Pipeline                 and                                                   numbers of eight species of marine
                                               Cross Inlet Extension Project (CIPL),                      (2) That cannot be sufficiently                    mammals incidental to the project.
                                               Cook Inlet, Alaska.                                     mitigated by other measures to increase               Dates and Duration
                                               DATES: The IHA is valid from April 25,                  the availability of marine mammals to
                                                                                                       allow subsistence needs to be met.                      The CIPL project will take place for
                                               2018, through April 24, 2019.                                                                                 approximately 108 days if able to work
                                                                                                          The MMPA states that the term ‘‘take’’
                                               FOR FURTHER INFORMATION CONTACT:                        means to harass, hunt, capture, kill or               without interruption (e.g., weather
                                               Jaclyn Daly, Office of Protected                        attempt to harass, hunt, capture, or kill             delays). Work will be staged with
                                               Resources, NMFS, (301) 427–8401.                        any marine mammal.                                    repositioning of obstacles (e.g.,
                                               SUPPLEMENTARY INFORMATION:                                 Except with respect to certain                     boulders) lasting approximately 15 days,
                                                                                                       activities not pertinent here, the MMPA               pipe pulling lasting approximately 11
                                               Availability
                                                                                                       defines ‘‘harassment’’ as any act of                  days (weather permitting) and the
                                                 An electronic copy of the IHA and                     pursuit, torment, or annoyance which (i)              remainder of the project, including
                                               supporting documents, as well as a list                 has the potential to injure a marine                  equipment mobilization, pipeline
                                               of the references cited in this document,               mammal or marine mammal stock in the                  securing, pipeline connection to the
                                               may be obtained online at https://                      wild (Level A harassment); or (ii) has                Tyonek platform, and demobilization
                                               www.fisheries.noaa.gov/node/23111. In                   the potential to disturb a marine                     constituting the remainder of the 108
                                               case of problems accessing these                        mammal or marine mammal stock in the                  day project.
                                               documents, please call the contact listed               wild by causing disruption of behavioral
                                               above (see FOR FURTHER INFORMATION                                                                            Specific Geographic Region
                                                                                                       patterns, including, but not limited to,
                                               CONTACT).                                               migration, breathing, nursing, breeding,                 Cook Inlet is a complex Gulf of Alaska
                                                                                                       feeding, or sheltering (Level B                       estuary (as described in BOEM 2016)
                                               Background                                                                                                    that covers roughly 7,700 square miles
                                                                                                       harassment).
                                                 Sections 101(a)(5)(A) and (D) of the                                                                        (mi2; 20,000 square kilometers (km2)),
                                               MMPA (16 U.S.C. 1361 et seq.) direct                    National Environmental Policy Act                     with approximately 840 miles (mi)
                                               the Secretary of Commerce (as delegated                    To comply with the National                        (1,350 linear kilometer (km)) of
                                               to NMFS) to allow, upon request, the                    Environmental Policy Act of 1969                      coastline (Rugh et al., 2000). Cook Inlet
                                               incidental, but not intentional, taking of              (NEPA; 42 U.S.C. 4321 et seq.) and                    is generally divided into upper and
                                               small numbers of marine mammals by                      NOAA Administrative Order (NAO)                       lower regions by the East and West
                                               U.S. citizens who engage in a specified                 216–6A, NMFS must review our                          Forelands (see Figure 1–1 in Harvest’s
                                               activity (other than commercial fishing)                proposed action (i.e., the issuance of an             application). Northern Cook Inlet
                                               within a specified geographical region if               incidental harassment authorization)                  bifurcates into Knik Arm to the north
                                               certain findings are made and either                    with respect to potential impacts on the              and Turnagain Arm to the east. Overall,
daltland on DSKBBV9HB2PROD with NOTICES




                                               regulations are issued or, if the taking is             human environment.                                    Cook Inlet is shallow, with an area-
                                               limited to harassment, a notice of a                       Accordingly, NMFS prepared an                      weighted mean depth of 148 feet (ft)
                                               proposed authorization is provided to                   Environmental Assessment (EA) to                      (44.7 meters (m)). The physical
                                               the public for review.                                  consider the environmental impacts                    oceanography of Cook Inlet is
                                                 An authorization for incidental                       associated with the issuance of the                   characterized by complex circulation
                                               takings shall be granted if NMFS finds                  proposed IHA and, on April 25, 2018,                  with variability at tidal, seasonal,
                                               that the taking will have a negligible                  issued an associated Finding of No                    annual, and inter-annual timescales


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                                                                                      Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices                                                                                              19225

                                               (Musgrave and Statscewich, 2006). This                                Inlet beluga whale foraging and                                          be conducted in phases and include
                                               region has the fourth largest tidal range                             transiting areas (see Figure 4–1 in                                      moving subsea obstacles out of the
                                               in the world and as a result, extensive                               Harvest’s application).                                                  pipeline corridor, pulling two pipelines
                                               tidal mudflats that are exposed at low                                Detailed Description of Specific Activity                                (one oil, one gas) into place on the
                                               tides occur throughout Cook Inlet,                                                                                                             seafloor, securing pipelines with
                                               especially in the upper reaches. These                                  A complete description of the                                          sandbags, and connecting the pipelines
                                               tides are also the driving force of surface                           specified activity may be found in our                                   to the existing Tyonek platform. The
                                               circulation. Strong tidal currents drive                              notice of the proposed IHA (83 FR 8437;                                  positioning and installation of the
                                               the circulation in the greater Cook Inlet                             February 27, 2018) and a summary is
                                                                                                                                                                                              offshore pipeline would be
                                               area with average velocities ranging                                  provided below. No changes to the
                                                                                                                                                                                              accomplished using a variety of pipe
                                               from 1.5 to 3 m per second (3 to 6                                    proposed project have occurred since
                                                                                                                     publication of that notice.                                              pulling, positioning, and securing
                                               knots).                                                                                                                                        methods supported by dive boats, tug
                                                                                                                       The project includes the installation
                                                  The project area is located a few km                               of two new steel subsea pipelines in the                                 boats, and/or barges and winches. The
                                               north of the village of Tyonek between                                waters of Cook Inlet: A 10-inch (in)                                     barge would be relocated approximately
                                               Ladd Landing and the Tyonek Platform                                  nominal diameter gas pipeline (Tyonek                                    two to three times per day. Work would
                                               (see Figure 1–2 of Harvest’s                                          W 10) between the Tyonek Platform and                                    be limited to the pipeline corridor from
                                               application). On April 11, 2011, NMFS                                 the Beluga Pipeline (BPL) Junction, and                                  Ladd Landing to the Tyonek Platform
                                               designated beluga whale                                               the 8-in nominal diameter oil pipeline                                   and could occur for up to 108 days.
                                               (Delphinapterus leucas) critical habitat                              (Tyonek W 8) between the existing                                        Table 1 contains construction scenarios
                                               in the action area. Critical habitat                                  Tyonek Platform and Ladd Landing.                                        during the phased project and
                                               includes known fall and winter Cook                                   Pipelines installation activities would                                  associated use duration.

                                                TABLE 1—CONSTRUCTION SCENARIOS, ASSOCIATED EQUIPMENT AND ESTIMATED SOURCE LEVELS DURING THE 108-DAY
                                                                                           CIPL PROJECT
                                                                                                                                                                                                                     Approximate                Approximate
                                                                 Project component/scenario                                                                   Noise source                                             duration                hours per day
                                                                                                                                                                                                                        (days)

                                               Obstruction Removal and Pipeline pulling (subtidal) ...                          Tug (120 ft) × 2 ............................................................                           68                   10–12
                                                                                                                                Dive boat 1 ....................................................................                        28                           9
                                                                                                                                Sonar boat 2 ..................................................................                           9                        12
                                                                                                                                Work boat (120 ft) 1 ......................................................                             68                           9
                                                                                                                                Crew boat (48 ft) 1 ........................................................                            68                           9
                                                                                                                                Barge anchoring 3 .........................................................         ........................   ........................
                                               Pipeline pulling (intertidal) ............................................       Tug × 2 .........................................................................                       16                   10–12
                                                                                                                                Barge anchoring Crew boat .........................................                                     16     ........................
                                               Trenching (transition zone) ...........................................          Tug × 2 .........................................................................                       10                         12
                                                                                                                                Backhoe/bucket dredge 4 (beach-based) .....................                                             10                         12
                                               Mid-line Pipeline Tie-In Work .......................................            Tug × 2 .........................................................................                         7                  10–12
                                                                                                                                Dive boat ......................................................................                          4                          9
                                                                                                                                Work boat .....................................................................                           7                        12
                                                                                                                                Barge anchoring ...........................................................                               7                          6
                                               Connections of Tyonek Platform ..................................                Tug × 2 .........................................................................                         7                  10–12
                                                                                                                                Work boat .....................................................................                           7                          8
                                                                                                                                Dive boat ......................................................................                          7                          9
                                                                                                                                Underwater tools (hydraulic wrench, pneumatic grind-                                                      7          30 minutes
                                                                                                                                  er, and pressure washer).
                                               Total Duration 5 .............................................................   Tug × 2 .........................................................................                    108       ........................
                                                                                                                                Dive boat ......................................................................                      39       ........................
                                                                                                                                Sonar boat ....................................................................                        9       ........................
                                                                                                                                Work/crew boat .............................................................                         108       ........................
                                                 1 The dive boat, crew boat, and work boat durations are shorter than tugs because they would be tied to the barge most of the time. Main en-
                                               gines would not be running while tied up, but a generator and compressors would be running to support diving operations.
                                                 2 Sonar boat engine noise only. Sonar equipment would operate at frequencies over 200 kHz.
                                                 3 Barge is equipped with four anchors.
                                                 4 Backhoe and tug will be used approximately 2–4 hours per low/slack tide to complete transition zone installation.
                                                 5 Total time does not include allowance of 6 weather days because vessels would not operating during those days.




                                               Comments and Responses                                                notice of proposed IHA are available on                                  ongoing and other planned activities in
                                                                                                                     the internet at: https://                                                Cook Inlet, would affect only a small
                                                 A notice of proposed IHA was
                                                                                                                     www.fisheries.noaa.gov/node/23111.                                       number of Cook Inlet beluga whales and
                                               published in the Federal Register on
                                               February 27, 2018 (83 FR 8437) for                                    Following is a summary of the public                                     have no more than a negligible impact
daltland on DSKBBV9HB2PROD with NOTICES




                                               public comment. During the 30-day                                     comments and NMFS’ responses.                                            on the population.
                                               public comment period, NMFS received                                     Comment 1: The Commission                                               NMFS Response: In accordance with
                                               comment letters from the Marine                                       acknowledged that the activities will                                    the MMPA and our implementing
                                               Mammal Commission (Commission)                                        likely have lesser impacts than other                                    regulations at 50 CFR 216.104(c), and as
                                               and a group of students from the                                      sound-producing activities but                                           described in this notice, we use the best
                                               University of Arizona (Students). The                                 indicated that NMFS should explain                                       available scientific evidence to
                                               public comment letters received on the                                why the activities, in combination with                                  determine whether the taking of marine


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                                               19226                         Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices

                                               mammals by the specified activity                       numbers for almost all species was                    pursue a more general route, that the
                                               within the specified geographic region                  warranted to ensure the numbers of                    agency provide the Commission and the
                                               will have a negligible impact on the                    authorized takes for the project was                  public with a legal analysis supporting
                                               affected species or stock. The MMPA                     sufficient given the nature of the project            our conclusion that this process is
                                               requires these findings be made with                    (i.e., some activities cannot be stopped              consistent with the requirements of
                                               respect to the specified activity                       once begun). We refer the reader to the               101(a)(5)(D) of the MMPA.
                                               contained within an applicant’s request                 ‘‘Estimated Take’’ section below for                     NMFS Response: The process of
                                               for authorization. However, our                         details on how the new take numbers                   issuing a renewal IHA does not bypass
                                               negligible impact finding considers the                 were calculated. Specific to the                      the public notice and comment
                                               potential impact of the specified activity              Commission’s comment on harbor                        requirements of the MMPA. The notice
                                               in consideration of the status of the                   porpoise, NMFS authorized the take of                 of the proposed IHA expressly notifies
                                               stock and existing threats. That is, the                100 individuals in the IHA based on                   the public that under certain, limited
                                               impacts from other past and ongoing                     2012 industry survey reports (which                   conditions an applicant could seek a
                                               anthropogenic activities are                            NMFS notes indicate an unusually large                renewal IHA for an additional year. The
                                               incorporated into the negligible impact                 number of sightings compared to                       notice describes the conditions under
                                               analysis via their impacts on the                       multiple and more recent survey years).               which such a renewal request could be
                                               environmental baseline (e.g., density/                  NMFS has also added takes and                         considered and expressly seeks public
                                               distribution and status of the species,                 associated analysis of California sea                 comment in the event such a renewal is
                                               population size and growth rate, and                    lions and gray whales included the                    sought. Importantly, such renewals
                                               ambient noise). Here, as acknowledged                   recommended notification measure                      would be limited to where the activities
                                               by the Commission, the potential impact                 should Harvest approach take limits for               are identical or nearly identical to those
                                               of the specified activity is low.                       any marine mammal species.                            analyzed in the proposed IHA,
                                               Moreover, the IHA contains a number of                     Comment 3: The Commission                          monitoring does not indicate impacts
                                               mitigation and monitoring measures                      recommended, after reviewing proposed                 that were not previously analyzed and
                                               designed to minimize, reducing both                     changes to the monitoring plan (see                   authorized, and the mitigation and
                                               frequency of take and intensity of take                 Monitoring and Reporting section), that               monitoring requirements remain the
                                               (which is already low). Further, as                     NMFS require Harvest to deploy an                     same, all of which allow the public to
                                               described here, we have compared the                    additional protected species observer                 comment on the appropriateness and
                                               number of take to the stock abundance                   (PSO) on an alternate vessel located on               effects of a renewal at the same time the
                                               and determined that we are authorizing                  the opposite side of the Level B                      public provides comments on the initial
                                               take of a small number of marine                        harassment zone from the proposed                     IHA. NMFS has modified the language
                                               mammals per stock.                                      land- or platform-based observer.                     for future proposed IHAs to clarify that
                                                  NMFS has made the necessary                             NMFS Response: The Commission’s                    all IHAs, including renewal IHAs, are
                                               findings to issue the IHA to Harvest for                comment reflect a concern for marine                  valid for no more than one year and that
                                               take of marine mammals incidental to                    mammal detectability during the time                  the agency would consider only one
                                               their pipeline installation activities.                 activities are occurring in the middle of             renewal for a project at this time (the
                                               Nonetheless, NMFS agrees that caution                   the project corridor between land and                 latter accomplished by using the word
                                               is appropriate in the management of                     the Tyonek Platform. NMFS agrees                      ‘‘second’’). In addition, notice of
                                               impacts on this small resident beluga                   detection at these distances is                       issuance or denial of a renewal IHA
                                               population with declining abundance                     problematic; however, we disagree that                would be published in the Federal
                                               and constricted range. Accordingly,                     placing another vessel on the water                   Register, as are all IHAs. Lastly, NMFS
                                               NMFS is requiring that Harvest submit                   (which introduces additional                          will publish on our website a
                                               weekly and monthly reports on their                     underwater noise) is the appropriate                  description of the renewal process
                                               daily marine mammal monitoring                          response to addressing this issue.                    before any renewal is issued utilizing
                                               efforts. Consistent with our                            Instead, NMFS is requiring Harvest to                 the new process.
                                               implementing regulations, if NMFS                       place an observer at Ladd Landing and                    Comment 5: The Students were
                                               determines that the level of taking is                  the Tyonek platform (concurrently)                    concerned marine mammals access may
                                               having or may have a more than                          when pipelines installation activities                be blocked by the project provided pipe
                                               negligible impact on a species or stock,                occur 2 to 6.5 km from shore. Further,                segments, which are 2.5 mi long, and
                                               NMFS may suspend or modify an LOA,                      the PSO(s) would be in constant contact               requested more information on
                                               as appropriate, following notice and                    with vessel captains and crew and                     mitigation measures designed to ensure
                                               comment.                                                NMFS has included an additional                       animals have access to important
                                                  Comment 2: The Commission                            monitoring measure requiring vessel-                  foraging areas in the northern inlet.
                                               recommends that NMFS include take                       based crew to report any marine                          NMFS Response: The project would
                                               authorization for California sea lions,                 mammal sighting to the PSO.                           not create physical barriers to accessing
                                               increase the number of authorized takes                    Comment 4: The Commission                          locations north and south of the project
                                               of harbor porpoises from 10 to at least                 requested clarification of certain issues             area. The pipelines would be pulled
                                               72, and require Harvest to notify NMFS                  associated with NMFS’s notice that one-               along the sea floor and the presence of
                                               immediately if the numbers of takes                     year renewals could be issued in certain              the limited number of vessels involved
                                               approach the authorized limits for any                  limited circumstances and expressed                   in the project would not block access.
                                               species.                                                concern that the process would bypass                 Acoustically, we anticipate the highest
                                                  NMFS Response: NMFS has reviewed                     the public notice and comment                         noise levels to occur at the vessel and
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                                               a suite of industry monitoring reports,                 requirements. The Commission also                     barge locations, not within an entire 2.5
                                               NMFS marine mammal survey data, and                     suggested that NMFS should discuss the                mi stretch in any particular moment in
                                               NMFS anecdotal sighting database in                     possibility of renewals through a more                time. As described in our Federal
                                               consideration of the Commission’s                       general route, such as a rulemaking,                  Register notice, we believe animals will
                                               comments with respect to all species                    instead of notice in a specific                       detour around the project site but more
                                               proposed for authorization and                          authorization. The Commission further                 specifically, around the work vessels
                                               determined that an adjustment of take                   recommended that if NMFS did not                      generating the most amount of noise.


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                                                                                   Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices                                                             19227

                                               Furthermore, the noise levels are not                           Comment 6: The Students expressed                                  IHA, NMFS considered all comments
                                               particularly high, and belugas are                           concern that information in the EA is                                 prior to issuing the IHA and finalizing
                                               accustomed to industrial noises such as                      not adequate to estimate amount of take                               the EA. Moreover, the MMPA requires
                                               at the Port of Anchorage. There is ample                     and, specifically, harbor porpoise                                    NMFS to prescribe mitigation measures
                                               evidence that construction noise at the                      sightings have increased in recent years                              that effect the least practicable impact
                                               Port of Anchorage, including impact                          and should be considered.                                             on marine mammal species and stocks,
                                               pile driving, does not deter belugas from                       NMFS Response: NMFS refers the                                     which we believe has been achieved.
                                               accessing critical foraging area higher in                   reader to our response to the
                                                                                                                                                                                  Description of Marine Mammals in the
                                               Knik Arm. Through the IHA, Harvest is                        Commission’s comment regarding
                                                                                                                                                                                  Area of Specified Activities
                                               also required to implement a number of                       amount of take (Comment 2) and the
                                               mitigation measures designed to                              ‘‘Estimated Take’’ section.                                              In the Federal Register notice
                                                                                                               Comment 7: The Students indicated                                  announcing our proposed IHA (83 FR
                                               minimize both the frequency and degree
                                                                                                            coordination with other agencies, local                               8437; February 27, 2018), we
                                               of impact. These include lowering
                                                                                                            organizations, Inuit communities, US                                  summarized available information
                                               source levels of vessels at all times                        Fish and Wildlife Service, or other                                   regarding status and trends, distribution
                                               when full engine engagement is not                           interest groups during development of                                 and habitat preferences, and behavior
                                               required (e.g., idle, tie up to barge and                    the draft Environmental Assessment                                    and life history, of six of the potentially
                                               shut-down) and to delay the onset of                         NMFS prepared for the project could                                   affected species. We have determined
                                               activities if animals are observed within                    result in a more effective project plan                               two additional species, the gray whale
                                               or entering the Level B harassment zone.                     that could lessen the level B harassment                              and California sea lion, have the
                                               Lastly, Harvest is required to submit                        on the marine mammals and allow for                                   potential, albeit unlikely, to enter into
                                               weekly monitoring reports to NMFS for                        improved completion of the project.                                   the project area. Due to the nature of the
                                               the duration of the project. Should                             NMFS Response: NMFS provided                                       activities and the inability to stop some
                                               monitoring by Harvest indicate marine                        both the proposed IHA and draft EA for                                of the operational activities once they
                                               mammals are experiencing anything                            public comment. The agencies,                                         commence (e.g., pipe pulling or pushing
                                               more than the expected impacts, NMFS                         communities, and interest groups                                      the barge), we are including, in an
                                               would employ an adaptive management                          referenced had opportunity to comment                                 abundance of caution, these species in
                                               approach to ensure impacts are not                           during this time and, as indicated in the                             the final IHA. Table 2 provides a
                                               beyond those anticipated.                                    Federal Register notice for the proposed                              summary of the status of these species.

                                                                               TABLE 2—SPECIES WITH POTENTIAL OCCURRENCE WITHIN THE ACTION AREA
                                                                                                                                                                        ESA/        Stock abundance
                                                                                                                                                                       MMPA          (CV, Nmin, most                 Annual
                                                     Common name                         Scientific name                              Stock                            status;                            PBR 3
                                                                                                                                                                                    recent abundance                 M/SI 4
                                                                                                                                                                      Strategic         survey) 2
                                                                                                                                                                       (Y/N) 1

                                                                                          Order Cetartiodactyla—Cetacea—Superfamily Mysticeti (baleen whales)

                                               Family Eschrichtiidae:
                                                  Gray whale ...............       Eschrichtius robustus ......        Eastern North Pacific .......              -               20,990 (0.05, 20125,        624        132
                                                                                                                                                                                    2011).
                                               Family Balaenopteridae
                                                 (rorquals):
                                                    Humpback whale ......          Megaptera novaeangliae              Central North Pacific .......              E;Y             10,103 (0.3, 7890,           83          24
                                                                                                                                                                                    2006).

                                                                                             Superfamily Odontoceti (toothed whales, dolphins, and porpoises)

                                               Family Delphinidae:
                                                  Beluga whale ............        Delphinapterus leucas .....         Cook Inlet ........................        E;Y             312 (0.1, 287, 2014)       UND              0
                                                  Killer whale ...............     Orcinus orca ....................   Alaska Resident ...............            -               2,347 (unk, 2,347,          24              1
                                                                                                                                                                                    2012).
                                                    Killer whale ...............   Orcinus orca ....................   Gulf of Alaska, Aleutian,                  -               587 (unk, 587, 2012)         5.9            1
                                                                                                                        Bering Sea Transient.
                                               Family Phocoenidae (por-
                                                 poises):
                                                   Harbor porpoise ........        Phocoena phocoena ........          Gulf of Alaska ..................          N;Y             31,046 (0.214, N/A,        UND           72
                                                                                                                                                                                    1998).

                                                                                                              Order Carnivora—Superfamily Pinnipedia

                                               Family Otariidae (eared
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                                                 seals and sea lions):
                                                   Steller sea lion ..........     Eumetopias jubatus .........        Western U.S. ...................           E;Y             50,983 (unk, 50,983,        306        236
                                                                                                                                                                                    2015).
                                                    California sea lion .....      Zalophus californianus .....        U.S. ..................................    -               296,750 (n/a,             9,200        389
                                                                                                                                                                                    153,337, 2014).
                                               Family Phocidae (earless
                                                 seals):



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                                               19228                              Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices

                                                                     TABLE 2—SPECIES WITH POTENTIAL OCCURRENCE WITHIN THE ACTION AREA—Continued
                                                                                                                                                            ESA/        Stock abundance
                                                                                                                                                           MMPA          (CV, Nmin, most      PBR 3     Annual
                                                     Common name                        Scientific name                         Stock                      status;      recent abundance                M/SI 4
                                                                                                                                                          Strategic         survey) 2
                                                                                                                                                           (Y/N) 1

                                                    Harbor seal ...............   Phoca vitulina ..................   Cook Inlet/Shelikof Strait      -               27,386 (unk, 25,651,       770         234
                                                                                                                                                                        2011).
                                                 1 Endangered Species Act (ESA) status: Endangered (E), Threatened (T)/MMPA status: Depleted (D). A dash (-) indicates that the species is
                                               not listed under the ESA or designated as depleted under the MMPA. Under the MMPA, a strategic stock is one for which the level of direct
                                               human-caused mortality exceeds PBR or which is determined to be declining and likely to be listed under the ESA within the foreseeable future.
                                               Any species or stock listed under the ESA is automatically designated under the MMPA as depleted and as a strategic stock.
                                                 2 NMFS marine mammal stock assessment reports online at: www.nmfs.noaa.gov/pr/sars/. CV is coefficient of variation; Nmin is the minimum
                                               estimate of stock abundance. In some cases, CV is not applicable.
                                                 3 UND is an undetermined Potential Biological Removal (PBR)
                                                 4 These values, found in NMFS’s SARs, represent annual levels of human-caused mortality plus serious injury from all sources combined (e.g.,
                                               commercial fisheries, ship strike). Annual M/SI often cannot be determined precisely and is in some cases presented as a minimum value or
                                               range. A CV associated with estimated mortality due to commercial fisheries is presented in some cases.


                                                  In summary, eight marine mammal                          Ridge, 2014). Gray whales have not been                    is 5.4 percent annually (Caretta et al.,
                                               species, including five cetaceans and                       observed in the upper inlet; however,                      2004).
                                               three pinnipeds, may be found within                        seismic surveys encompassing the                              California sea lions are very rare in
                                               Cook Inlet during the project (Table 2).                    middle and upper inlet (including the                      Cook Inlet and typically are not
                                               These are the Cook Inlet beluga whale,                      project area) have observed gray whales.                   observed farther north than southeast
                                               humpback whale, gray whale, killer                          On June 1, 2012, there were three gray                     Alaska. However, NMFS’ anecdotal
                                               whale, harbor porpoise, harbor seal,                        whale sightings during marine mammal                       sighting database contains four
                                               Steller sea lion and California sea lion.                   monitoring for a seismic survey; the                       California sea lion sightings in Seward
                                               We refer the reader to the Federal                          survey area included the pipeline                          and Kachemak Bay (pers. comm., Kate
                                               Register notice for information                             project area (SAE, 2012). It is not known                  Savage, NMFS, March 27, 2018). In
                                               regarding species previously                                if this was the same animal observed                       addition, an industry survey report
                                               considered. We provide a summary of                         multiple times or multiple individuals.                    contains a sighting of two California sea
                                               the relevant information for the                            A lone gray whale was also observed                        lions in lower Cook Inlet; however, it is
                                               additional species (gray whale and                          near the middle inlet in 2014 and in                       unclear if these animals were indeed
                                               California sea lion) below. Additional                      May 2015, what was believed to be a                        California sea lions or a mis-identified
                                               information regarding population trends                     gray whale based on blow shape was                         Steller sea lions (SAE, 2012).
                                               and threats may be found in NMFS’s                          observed during marine mammal                              Regardless, in an abundance of caution,
                                               Stock Assessment Reports (SAR;                              monitoring conducted for seismic                           we have included take for California sea
                                               www.nmfs.noaa.gov/pr/sars/) and more                        surveys (SAE 2014, 2015).                                  lions in the final IHA.
                                               general information about these species                                                                                   Threats to this species include
                                                                                                              Threats to this species include ship
                                               (e.g., physical and behavioral                                                                                         incidental catch and entanglement in
                                                                                                           strike, entanglement in fishing gear, and
                                               descriptions) may be found on NMFS’s                                                                                   fishing gear, such as gillnets; biotoxins,
                                                                                                           increased human use of more northern
                                               website (https://                                                                                                      as a result of harmful algal blooms; and
                                                                                                           latitudes as ice melts (Caretta et al.,
                                               www.fisheries.noaa.gov/about/office-                                                                                   gunshot wounds and other human-
                                                                                                           2015).
                                               protected-resources).                                                                                                  caused injuries, as California sea lions
                                                                                                           California Sea Lions                                       are sometimes viewed as a nuisance by
                                               Gray whales
                                                                                                                                                                      commercial fishermen (NOAA 2016).
                                                  Each spring, the Eastern North Pacific                      California sea lions (Zalophus
                                               stock of gray whale migrates 8,000 km                       californianus) are distributed along the                   Potential Effects of Specified Activities
                                               (5,000 mi) northward from breeding                          North Pacific waters from central                          on Marine Mammals and Their Habitat
                                               lagoons in Baja California to feeding                       Mexico to southeast Alaska, with                              In the ‘‘Potential Effects of the
                                               grounds in the Bering and Chukchi seas,                     breeding areas restricted primarily to                     Specified Activity on Marine Mammals
                                               reversing their travel again in the fall                    island areas off southern California (the                  and Their Habitat’’ section of the notice
                                               (Rice and Wolman, 1971). Their                              Channel Islands), Baja California, and in                  of proposed IHA (83 FR 8437, February
                                               migration route is for the most part                        the Gulf of California (Wright et al.,                     27, 2018), NMFS included a qualitative
                                               coastal until they reach the feeding                        2010). The population is comprised of                      discussion of the different ways that
                                               grounds. A small portion of whales do                       five genetically distinct populations:                     Harvest’s pipelines installation
                                               not annually complete the full circuit,                     The United States population that                          activities may potentially affect marine
                                               as small numbers can be found in the                        breeds on offshore islands in California;                  mammals. The information contained in
                                               summer feeding along the Oregon,                            the western Baja California population                     the notice has not changed. Please refer
                                               Washington, British Columbia, and                           that breeds offshore along the west coast                  to that notice for the full discussion.
                                               Alaskan coasts (Rice et al., 1984, Moore                    of Baja California, Mexico; and three                      Below we provide a summary.
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                                               et al., 2007).                                              populations (southern, central and                            The CIPL project has the potential to
                                                  Most gray whales migrate past the                        northern) that breed in the Gulf of                        harass marine mammals from exposure
                                               mouth of Cook Inlet to and from                             California, Mexico. Males migrate long                     to noise from working vessels (e.g., tugs
                                               northern feeding grounds. However,                          distances from the colonies during the                     pushing barges) and construction
                                               small numbers of summering gray                             winter whereas females and juveniles                       activities such as removing obstacles
                                               whales have been observed within Cook                       remain close the breeding areas. The                       from the pipeline path, pulling
                                               Inlet, mostly in the lower inlet (e.g., Owl                 approximate growth rate for this species                   pipelines, anchoring the barge, divers


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                                                                             Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices                                               19229

                                               working underwater with noise-                          feeding, or sheltering (Level B                       the practical need to use a threshold
                                               generating equipment, trenching, etc. In                harassment).                                          based on a factor that is both predictable
                                               this case, NMFS considers potential                       Authorized takes would be by Level B                and measurable for most activities,
                                               harassment from the collective use of                   harassment only, in the form of                       NMFS uses a generalized acoustic
                                               vessels working in a concentrated area                  disruption of behavioral patterns                     threshold based on received level to
                                               for an extended period of time and noise                individual marine mammals resulting                   estimate the onset of behavioral
                                               created when moving obstacles, pulling                  from exposure to multiple working                     harassment. NMFS predicts that marine
                                               pipelines, trenching in the intertidal                  vessels and construction activities in a              mammals are likely to be behaviorally
                                               transition zone, and moving the barge                   concentrated area. For reasons described              harassed in a manner we consider Level
                                               two to three times per day using two                    in the Federal Register notice for the                B harassment when exposed to
                                               tugs. Essentially, the project area will                proposed IHA, Level A harassment is                   underwater anthropogenic noise above
                                               become be a concentrated work area in                   not anticipated or authorized. No                     received levels of 120 decibels (dB) re
                                               an otherwise non-industrial, serene                     mortality is anticipated or authorized                1 micro pascal (mPa) (root means square
                                               setting. In addition, the presence of the               for this activity. Below we describe how              (rms)) for continuous (e.g. vibratory
                                               staging area on land and associated                     the take was quantified.                              pile-driving, drilling) and above 160 dB
                                               work close to shore may harass hauled-                    Described in the most basic way, we                 re 1 mPa (rms) for non-explosive
                                               out seals and sea lions.                                estimate take by considering: (1)                     impulsive (e.g., seismic airguns) or
                                                  We anticipate effects of the project to              Acoustic thresholds above which NMFS                  intermittent (e.g., scientific sonar)
                                               be limited to masking and behavioral                    believes the best available science                   sources.
                                               disturbance (e.g., avoidance, cessation                 indicates marine mammals will be                        Harvest’s activity includes the use of
                                               of vocalizations, increased swim speeds,                behaviorally harassed or incur some                   multiple continuous sources and
                                               etc.). We do not anticipate auditory                    degree of permanent hearing                           activities (e.g., vessels, pipe pulling) and
                                               threshold shift, permanent (PTS) or                     impairment; (2) the area or volume of                 therefore the 120 dB re 1 mPa (rms)
                                               temporary (TTS), to occur due to low                    water that will be ensonified above                   threshold is applicable. As described
                                               source levels and the fact marine                       these levels in a day; (3) the density or             above, in this case we believe it is not
                                               mammals species are unlikely to be                      occurrence of marine mammals within                   any one of these single sources alone
                                               exposed for periods of time needed to                   these ensonified areas; and, (4) and the              that is likely to harass marine mammals,
                                               incur the potential for PTS or TTS from                 number of days of activities. Below, we               but a combination of sources and the
                                               the sources involved with pipeline                      describe these components in more                     physical presence of the equipment. We
                                               installation. We also do not anticipate                 detail and present the authorized take                use this cumulative assessment
                                               marine mammals transiting to an                         estimate.                                             approach below to identify ensonified
                                               intended destination to abandon the                                                                           areas and take estimates.
                                                                                                       Acoustic Thresholds
                                               effort; we expect the length of any                                                                             Level A harassment for non-explosive
                                               detour around working vessels to be                       Using the best available science,
                                                                                                       NMFS uses acoustic thresholds that                    sources—NMFS’ Technical Guidance
                                               minimal.                                                                                                      for Assessing the Effects of
                                                                                                       identify the received level of
                                               Estimated Take                                          underwater sound above which exposed                  Anthropogenic Sound on Marine
                                                  This section provides the number of                  marine mammals would be reasonably                    Mammal Hearing (NMFS, 2016b)
                                               incidental takes authorized through the                 expected to be behaviorally harassed                  identifies dual criteria to assess auditory
                                               IHA, which informed both NMFS’                          (equated to Level B harassment) or to                 injury (Level A harassment) to five
                                               consideration of ‘‘small numbers’’ and                  incur PTS of some degree (equated to                  different marine mammal groups (based
                                               the negligible impact determination.                    Level A harassment).                                  on hearing sensitivity) as a result of
                                                  Harassment is the only type of take                    Level B Harassment for non-explosive                exposure to noise from two different
                                               expected to result from these activities.               sources—Though significantly driven by                types of sources (impulsive or non-
                                               Except with respect to certain activities               received level, the onset of behavioral               impulsive). Harvest’s activity includes
                                               not pertinent here, section 3(18) of the                disturbance from anthropogenic noise                  the use of non-impulsive (e.g., tugs
                                               MMPA defines ‘‘harassment’’ as any act                  exposure is also informed to varying                  pushing a barge, pipe pulling) sources.
                                               of pursuit, torment, or annoyance which                 degrees by other factors related to the                 These thresholds are provided in the
                                               (i) has the potential to injure a marine                source (e.g., frequency, predictability,              Table 3. The references, analysis, and
                                               mammal or marine mammal stock in the                    duty cycle), the environment (e.g.,                   methodology used in the development
                                               wild (Level A harassment); or (ii) has                  bathymetry), and the receiving animals                of the thresholds are described in NMFS
                                               the potential to disturb a marine                       (hearing, motivation, experience,                     2016 Technical Guidance, which may
                                               mammal or marine mammal stock in the                    demography, behavioral context) and                   be accessed at: http://
                                               wild by causing disruption of behavioral                can be difficult to predict (Southall et              www.nmfs.noaa.gov/pr/acoustics/
                                               patterns, including, but not limited to,                al., 2007, Ellison et al., 2011). Based on            guidelines.htm.
                                               migration, breathing, nursing, breeding,                what the available science indicates and              BILLING CODE 3510–22–P
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                                               19230                         Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices




                                               BILLING CODE 3510–22–C                                  assumptions included in the methods                   distance at which, if a marine mammal
                                               Ensonified Area                                         used for these tools, we anticipate that              remained at that distance the whole
                                                                                                       isopleths produced will typically be                  duration of the activity, it would not
                                                 Here, we describe operational and                                                                           incur PTS. Inputs used in the User
                                                                                                       overestimates of some degree, which
                                               environmental parameters of the activity
                                                                                                       will result in some degree of                         Spreadsheet and the resulting isopleths
                                               that will feed into identifying the area
                                                                                                       overestimate of Level A harassment.                   are reported below.
                                               ensonified above the acoustic
                                               thresholds.                                             However, these tools offer the best way                  The sources and activities involved
                                                 When NMFS Technical Guidance                          to predict appropriate isopleths when                 with the CIPL project are relatively low
                                               (2016) was published, in recognition of                 more sophisticated 3D modeling                        compared to other activities for which
                                               the fact that ensonified area/volume                    methods are not available. NMFS will                  NMFS typically authorizes take (e.g.,
                                               could be more technically challenging                   continue to develop ways to                           seismic surveys, impact pile driving).
                                               to predict because of the duration                      quantitatively refine these tools, and                However, these sources will be
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                                               component in the new thresholds, we                     will qualitatively address the output                 operating for extended periods and
                                               developed a User Spreadsheet that                       where appropriate. Although vessels are               NMFS’ PTS thresholds now incorporate
                                               includes tools to help predict a simple                 mobile, we are considering them                       a time component. That time
                                               isopleth that can be used in conjunction                stationary for purposes of this project               component is based on both the
                                               with marine mammal density or                           due to the confined area of work. For                 duration of the activity and the likely
                                               occurrence to help predict takes. We                    stationary sources, NMFS’ User                        amount of time an animal would be
                                                                                                                                                                                                        EN02MY18.000</GPH>




                                               note that because of some of the                        Spreadsheet predicts the closest                      exposed. To determine if there is


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                                                                             Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices                                            19231

                                               potential for PTS from the CIPL project,                  activities constituting the distance                or group dynamics of marine mammals
                                               we considered operations may occur                        calculated to the 120 dB threshold from             that will inform the take calculations.
                                               throughout the day and night, and                         one tug (i.e., 2,200 m). NMFS                          There are eight marine mammal
                                               despite tugs being on stand-by for much                   determined a tug source level (170 dB               species that have the potential to occur
                                               of the time, a full day (24 hours) was the                re: 1 mPa) for the duration of the project
                                                                                                                                                             within the action area from April
                                               most conservative approach for                            would be a reasonable step in
                                                                                                                                                             through October. The NMFS National
                                               estimating potential for PTS. Therefore,                  identifying an ensonified zone since
                                                                                                         tugs would be consistently operating in             Marine Mammal Laboratory (NMML)
                                               we used a source level of 170 dB
                                               measured at 1 m (estimated tug noise),                    some manner, and other sources of                   maintains a database of Cook Inlet
                                               a practical spreading loss model                          noise (e.g., trenching, obstacle removal,           marine mammal observations collected
                                               (15logR), and the weighting factor                        underwater tools) are all expected to               by NOAA and U.S. Coast Guard
                                               adjustment (WFA) for vibratory pile                       produce less noise. Anchor handling                 personnel, fisheries observers, fisheries
                                               driving as a proxy for vessels (2.5 kHz).                 during barge relocation is also a source            personnel, ferry operators, tourists, or
                                               The distances to PTS thresholds                           of noise during the project; however, we            other private boat operators. NMFS also
                                               considering a 24 hour exposure duration                   believe using the tug is most                       collects anecdotal accounts of marine
                                               is provided in Table 4. Based on these                    appropriate. NMFS is aware of anchor                mammal sightings and strandings in
                                               results, we do not anticipate the nature                  handling noise measurements made in                 Alaska from fishing vessels, charter boat
                                               of the work has the potential to cause                    the Arctic during a Shell Oil exploratory           operators, aircraft pilots, NMFS
                                               PTS in any marine mammal hearing                          drilling program that produced a noise              enforcement officers, Federal and state
                                               group; therefore, we do not anticipate                    level of 143 dB re 1 mPa at 860 m (LGL              scientists, environmental monitoring
                                               auditory injury (Level A harassment)                      et al., 2014). However, that                        programs, and the general public. These
                                               will occur.                                               measurement was during deployment of                data were used to inform take estimates.
                                                                                                         1 of 12 anchors in an anchor array
                                                                                                                                                                Empirical estimates of beluga density
                                                TABLE 4—DISTANCES TO NMFS PTS system associated with a large drill rig                                       in Cook Inlet are difficult to produce.
                                                                   THRESHOLDS                            and it would be overly conservative to
                                                                                                         adopt here.                                         One of the most robust is the Goetz et
                                                                                                            Although vessels and equipment (e.g.,            al. (2012) model based on beluga
                                                                                           Distance to
                                                       Hearing group                      PTS threshold tugs, support vessels, barge) spacing                sighting data from NMFS aerial surveys
                                                                                               (m)       would vary during the course of                     from 1994 to 2008. The model
                                                                                                         operations, a single layout must be                 incorporated several habitat quality
                                               Low-frequency cetaceans .....                       22.6 assumed for modeling purposes. We                    covariates (e.g., water depth, substrate,
                                               Mid-frequency cetaceans .....                         2.0 assume the barge used for pipe pulling
                                               High-frequency cetaceans ....                       33.4
                                                                                                                                                             proximity to salmon streams, proximity
                                               Phocids .................................           13.8
                                                                                                         and supporting trenching and                        to anthropogenic activity, etc.) and
                                               Otarids ..................................            1.0 stabilization is placed in the middle of            related the probability of a beluga
                                                                                                         a group of vessels and directly in line             sighting (presence/absence) and the
                                                  Each construction phase involves                       with the pipeline corridor. The sonar               group size to these covariates. The
                                               multiple pieces of equipment that                         and dive boats would also be                        probability of beluga whale presence
                                               provide physical and acoustic sources of concentrated along the pipeline corridor                             within the project area from April
                                               disturbance. For this project, we                         path. We conservatively assume tugs                 through September is 0.001 belugas per
                                               anticipate the ensonified area to shift as would be spaced approximately 0.5 km                               km2. Moving into October and the
                                               the project progresses along the pipeline from the barge/pipeline corridor during                             winter, density is likely to increase;
                                               corridor. That is, at the onset of the                    stand-by mode and could be on opposite
                                                                                                                                                             however, Harvest anticipates all work
                                                                                                         sides of the corridor. Also, vessels and
                                               project, work will be concentrated in the                                                                     will be completed no later than
                                                                                                         equipment would shift from nearshore
                                               intertidal zone close to shore and, as                                                                        September.
                                                                                                         to offshore as the project progresses. For
                                               work continues, moving offshore
                                                                                                         simplicity, we divided the pipeline                    Harvest provided density estimates
                                               towards the Tyonek platform. We also
                                                                                                         corridor (8.9 km) in half for our                   for all other species with likely
                                               anticipate that the sound field generated
                                                                                                         ensonified area model because each                  occurrence in the action area in their
                                               by the combination of several sources
                                                                                                         pipe pulled would be approximately                  IHA application; however, data used to
                                               will expand and contract as various
                                                                                                         4.45 km each. We then considered the                generate those densities do not
                                               construction related activities are
                                                                                                         estimated distance to the 120 dB                    incorporate survey efforts beyond 2011.
                                               occurring. For example, pushing the
                                                                                                         threshold from the tug (2.2 km). We                 Therefore, we developed new density
                                               barge may require tugs to use increased                   then doubled that distance and adjusted
                                               thruster power, which would likely                                                                            estimates based on data collected during
                                                                                                         for a 0.5 km distance from the pipeline             NMFS aerial surveys conducted from
                                               result in greater distances to the 120 dB                 corridor to account for noise
                                               re 1 mPa threshold in comparison to                                                                           2001 to 2016 (Rugh et al. 2005; Shelden
                                                                                                         propagating on either side of a tug. We             et al. 2013, 2015, 2017). The numbers of
                                               general movement around the area.                         used those distances to calculate the
                                               Therefore, calculating an ensonified                                                                          animals observed over the 14 survey
                                                                                                         area of the rectangle centered around               years were summed for each species.
                                               area for the entire pipeline corridor                     the pipeline corridor (Area = length ×
                                               would be a gross overestimate and we                                                                          The percent area of survey effort for
                                                                                                         width or A = 4.45 km × ((2.2 km +
                                               offer an alternative here.                                                                                    each year (range 25 to 40 percent) was
                                                                                                         0.5km) × 2) for a Level B ensonified area
                                                  Because we consider the potential for of 24.03 km2. As the work continues,                                 used to calculate the area surveyed
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                                               take from the combination of multiple                     this area would gradually shift from                which was summed for all years (Rugh
                                               sources (and not any given single                         nearshore to farther offshore,                      et al. 2005; Shelden et al. 2013, 2015,
                                               source), we estimate the ensonified area terminating at the Tyonek platform.                                  2017). Density estimates were then
                                               to be a rectangle centered along the                                                                          derived by dividing the total number of
                                               pipeline corridor which encompasses                       Marine Mammal Occurrence                            each species sighted during the survey
                                               all in-water equipment and a buffer                          In this section we provide the                   by the total area of survey coverage
                                               around the outside of the cluster of                      information about the presence, density,            (Table 5).


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                                               19232                                    Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices

                                                    TABLE 5—DENSITY ESTIMATES FOR MARINE MAMMALS POTENTIALLY PRESENT WITHIN THE ACTION AREA BASED ON
                                                                            COOK INLET-WIDE NMFS AERIAL SURVEYS 2001–2016
                                                                                                                                                                                                                                   Estimated
                                                                                                                                                                                                 Number of                           density
                                                                                                                Species                                                                                           Area (km2)
                                                                                                                                                                                                  animals                           (number
                                                                                                                                                                                                                                  animals/km2)

                                               CI beluga whale ...........................................................................................................................                  -               -           1 0.001

                                               Humpback whale .........................................................................................................................                   204          87,123           0.0023
                                               Killer whale ..................................................................................................................................             70          87,123           0.0008
                                               Harbor porpoise ...........................................................................................................................                377          87,123             0.004
                                               Harbor seal ..................................................................................................................................         23,912           87,123           0.2745
                                               Steller sea lion .............................................................................................................................          2 74.1          87,123          0.00085
                                               Gray whale ...................................................................................................................................              10          87,123          0.00011
                                               California sea lion 3 ......................................................................................................................                 0          87,123                 0
                                                  1 CIbeluga whale density based on Goetz et al. (2012).
                                                  2 Actualcounts of Steller sea lions was 741; however, it is well documented this species almost exclusively inhabits the lower inlet south of the
                                               Forelands with rare sightings in the northern inlet. Therefore, we adjusted the number of animals observed during the NMFS surveys (which
                                               cover the entire inlet) by 1/10 to account for this skewed concentration.
                                                 3 This species has not been documented in the project area during the referenced surveys; however, an occasional, rare sighting has been
                                               made during industry-supported surveys.


                                               Take Calculation and Estimation                                            days). As an example, for beluga whales,                               take level. In general, the amount of
                                                                                                                          the estimated take is calculated as 24.03                              authorized take is an increase from the
                                                 The method for calculating take was                                      km2 × 0.001 × 108 days for a total of 2.59                             proposed numbers. In consideration of
                                               described in the Federal Register notice                                   belugas. However, for this and other                                   the nature of project activities (inability
                                               for the proposed IHA and is                                                species, we also consider additional                                   to shut down for some activities), we
                                               summarized here with a description of                                      sighting data (e.g., industry surveys,                                 determined an increase in take numbers
                                               modifications. Take was first calculated                                   anecdotal sightings), anticipated                                      was warranted. Table 6 provides the
                                               using a density-based method (Take =                                       residency time, and group size. From                                   results from our final take analysis.
                                               density × ensonified area × project                                        that analysis, we derived an authorized

                                                                             TABLE 6—QUANTITATIVE ASSESSMENT OF AUTHORIZED TAKE, BY LEVEL B HARASSMENT
                                                                                                                                                                                                                                   Authorized
                                                                                                                                                                                                 Calculated     Average group
                                                                                                   Species                                                                  Density                                                   take
                                                                                                                                                                                                   take1             size           (Level B)

                                               CI beluga whale ...............................................................................................                      0.001               2.59                  8            2 40

                                               Humpback whale .............................................................................................                       0.0023                5.07                1–2                 5
                                               Killer whale ......................................................................................................                0.0008                1.77                  5            3 10

                                               Harbor porpoise ...............................................................................................                      0.004               8.83              4 1–3           4 100

                                               Harbor seal ......................................................................................................                 0.2745              605.67            5 1–10            6 972

                                               Steller sea lion .................................................................................................                0.00085                1.88                1–2             76

                                               Gray whale .......................................................................................................                0.00011               0.285                  1             85

                                               California sea lion ............................................................................................                         0                  0                  1             95

                                                  1 Calculated Take = density × ensonifed area (24.03 km2) × # of project days (108).
                                                  2 The proposed take amount was 29 beluga whales which reflected the potential for one group of eight belugas per month or two groups of
                                               four animals per month. We increased to 40 authorized takes to account for possibility animals may be more frequent than originally assessed
                                               and to account for potential for one to two large group (up to 20 whales) to come within ensonified area during activities.
                                                 3 Adjusted take is based on two groups of five animals.
                                                 4 Average group size from Sheldon et al. 2014. Authorized take adjusted to account for known increase in harbor porpoise occurrence in upper
                                               Cook Inlet in recent years and is approximately 50% of the number of harbor porpoise observed during industry marine mammal surveys (n=190)
                                               near the action area.
                                                 5 Represents range of group sizes observed during a seismic survey in the middle Inlet from May 6 through September 30, 2012 (Lomac-
                                               MacNair et al., 2012).
                                                 6 The proposed IHA used density-based method for proposed take; however, we have adjusted based on the maximum of 9 harbor seals ob-
                                               served during aerial surveys in the project area based on NMFS aerial surveys from 1997–2011 (9 seals/day × 108 days = 972).
                                                 7 As in the proposed IHA, we consider the potential for 1–2 Steller sea lions to remain in the area for multiple days.
                                                 8 We have authorized five takes of gray whales in the rare chance they enter the ensonified area and operations cannot be shut down.
                                                 9 We have authorized five takes of California sea lions in the rare chance they enter the ensonified area and operations cannot be shut down.




                                                 Cook Inlet beluga whales are expected                                    take for up to 29 beluga whales in                                     during operations that could result in
                                               to be transiting through the action area                                   anticipation that one group of 8 animals                               take. Specifically, a 2012 June
                                               in group sizes ranging from 3 to 14                                        may pass through the action area once                                  monitoring report (SAE 2012) reported
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                                               animals with an average of 8 animals/                                      per month for the duration of the project                              an unusually high number of sightings
                                               group. These group sizes are based on                                      (i.e., 8 animals/group × 1 group/month                                 are marine mammals, including many at
                                               NMFS aerial surveys and anecdotal                                          × 3.6 months). However, during the                                     river mouths south of the project area.
                                               reports near Tyonek from April through                                     public comment period, we considered,                                  If we consider the potential for those
                                               October (pers comm. K Sheldon,                                             in more detail, the number of animals                                  groups to move north to the Beluga
                                               January 25, 2018). Harvest requested                                       that could pass through the action area                                River/Susitna, Knik and Turnigan Arm



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                                                                             Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices                                             19233

                                               areas, there is a possibility animals                   we have included take for gray whales                 population estimates, no beluga harvest
                                               could enter Harvest’s ensonified zone. If               and California sea lions in the final IHA.            will be authorized in 2018.
                                               operations (e.g., pile pulling, barge                   It is unlikely these species would come                 Harvest’s proposed pipeline
                                               moving) has already begun, these                        within the project area; however, in the              construction activities would not impact
                                               activities are not able to cease due to                 Description of Marine Mammals in the                  the availability of marine mammals for
                                               operational and safety concerns.                        Area of Specified Activities section, we              subsistence harvest in Cook Inlet due to
                                               Therefore, in the IHA, we have                          describe sightings of these species                   the proximity of harvest locations to the
                                               authorized up to 40 beluga whales to be                 during industry surveys and anecdotal                 project (for harbor seals) and the general
                                               taken by Level B harassment.                            sightings. Because some activities may                lack of Steller sea lion harvest. Beluga
                                                  We also considered group size for                    not be able to cease once they begin, we              subsistence harvest is currently under
                                               other cetaceans. Killer whales have the                 have authorized take for these species                moratorium. Further, animals that are
                                               potential to travel through the project                 (Table 6).                                            harassed from the project are expected
                                               area in groups exceeding the take                                                                             to elicit behavioral changes that are
                                               calculated based on density. Because                    Effects of Specified Activities on
                                                                                                       Subsistence Uses of Marine Mammals                    short-term, mild, and localized.
                                               sighting data indicates killer whales are
                                               not common in the Upper Inlet, we                          The availability of the affected marine            Mitigation
                                               anticipated one group to pass through                   mammal stocks or species for                             In order to issue an IHA under
                                               the project area in the proposed IHA but                subsistence uses may be impacted by                   Section 101(a)(5)(D) of the MMPA,
                                               have increased this to two groups for a                 this activity. The subsistence uses that              NMFS must set forth the permissible
                                               total authorized take of 10 killer whales.              may be affected and the potential                     methods of taking pursuant to such
                                               For harbor porpoise, we considered the                  impacts of the activity on those uses are             activity, and other means of effecting
                                               density-based take calculation to be                    described below. Measures included in                 the least practicable impact on such
                                               great enough to encompass their small                   this IHA to reduce the impacts of the                 species or stock and its habitat, paying
                                               group size (n=8); however, harbor                       activity on subsistence uses are                      particular attention to rookeries, mating
                                               porpoise sightings in the mid- to upper                 described in the Mitigation section. The              grounds, and areas of similar
                                               inlet have increased in recent years.                   information from this section and the                 significance, and on the availability of
                                               Despite them typically occurring in the                 Mitigation section is analyzed to                     such species or stock for taking for
                                               lower inlet, we have increased the                      determine whether the necessary                       certain subsistence uses. NMFS
                                               authorized amount of take to 100                        findings may be made in the                           regulations require applicants for
                                               individuals, which is approximately 50                  Unmitigable Adverse Impact Analysis                   incidental take authorizations to include
                                               percent of the individuals observed                     and Determination section.                            information about the availability and
                                               during the 2012 industry survey (n =                                                                          feasibility (economic and technological)
                                                                                                          The villages of Tyonek, Ninilchik,
                                               190). We did not authorize the same                                                                           of equipment, methods, and manner of
                                                                                                       Anchor Point, and Kenai use the upper
                                               amount of individuals observed                                                                                conducting such activity or other means
                                                                                                       Cook Inlet area for subsistence
                                               considering the industry survey area                                                                          of effecting the least practicable adverse
                                                                                                       activities. These villages regularly
                                               was much larger than the harassment                                                                           impact upon the affected species or
                                                                                                       harvest harbor seals (Wolfe et al., 2009).
                                               zone for the CIPL project and extended                                                                        stocks and their habitat (50 CFR
                                                                                                       Based on subsistence harvest data,
                                               lower in the inlet where harbor porpoise                                                                      216.104(a)(11)).
                                                                                                       Kenai hunters harvested an about 13
                                               are more common.
                                                  Harbor seals and Steller sea lions are               harbor seals on average per year,                        In evaluating how mitigation may or
                                               expected to occur as solitary animals or                between 1992 and 2008, while Tyonek                   may not be appropriate to ensure the
                                               in small groups and may linger in the                   hunters only harvested about 1 seal per               least practicable adverse impact on
                                               action area moreso than transiting                      year (Wolfe et al., 2009). Traditionally              species or stocks and their habitat, as
                                               cetaceans. Harbor seal takes estimates                  Tyonek hunters harvest seals at the                   well as subsistence uses where
                                               based on density reflect a likely                       Susitna River mouth (located                          applicable, we carefully consider two
                                               occurrence, so we did not adjust                        approximately 20 mi from the project                  primary factors:
                                               authorized take levels. However, Steller                area) incidental to salmon netting, or                   (1) The manner in which, and the
                                               sea lion density calculations produce an                during boat-based moose hunting trips                 degree to which, the successful
                                               estimated take of one animal during the                 (Fall et al., 1984). Alaska Natives are               implementation of the measure(s) is
                                               entire project. While Steller sea lions are             permitted to harvest Steller sea lions;               expected to reduce impacts to marine
                                               rare in the action area, this species may               however, this species is rare in mid- and             mammals, marine mammal species or
                                               not be solitary and may also remain in                  upper Cook Inlet, as is reflected in the              stocks, and their habitat, as well as
                                               the action area for multiple days. In                   subsistence harvest data. For example,                subsistence uses. This considers the
                                               2009, a Steller sea lion was observed                   between 1992 and 2008, Kenai hunters                  nature of the potential adverse impact
                                               three times during Port of Anchorage                    reported only two sea lions harvested                 being mitigated (likelihood, scope,
                                               construction (ICRC 2009). During                        and none were reported by Tyonek                      range). It further considers the
                                               seismic survey marine mammal                            hunters (Wolfe et al., 2008). Sea lions               likelihood that the measure will be
                                               monitoring, Steller sea lions were                      are more common in lower Cook Inlet                   effective if implemented (probability of
                                               observed in groups of one to two                        and are regularly harvested by villages               accomplishing the mitigating result if
                                               animals during two of three years of                    well south of the project area, such as               implemented as planned) the likelihood
                                               monitoring (Lomac-MacNair 2013,                         Seldovia, Port Graham, and Nanwalek.                  of effective implementation (probability
                                               2015). Therefore, we increased the                         Cook Inlet beluga subsistence harvest              implemented as planned) and;
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                                               amount of take to six Steller sea lions                 has been placed under a series of                        (2) The practicability of the measures
                                               to account for up to two animals to be                  moratoriums beginning 1999. Only five                 for applicant implementation, which
                                               observed over the course of three days                  beluga whales have been harvested                     may consider such things as cost,
                                               (i.e., two animals exposed three times).                since 1999. Future subsistence harvests               impact on operations, and, in the case
                                                  Harvest did not request, and we did                  are not planned until after the 5-year                of a military readiness activity,
                                               not propose, take for any other species                 population average has grown to at least              personnel safety, practicality of
                                               in our proposed IHA notice. However,                    350 whales. Based on the most recent                  implementation, and impact on the


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                                               19234                         Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices

                                               effectiveness of the military readiness                 pinnipeds); including not actively                       • Occurrence of marine mammal
                                               activity.                                               approaching marine mammals within                     species or stocks in the area in which
                                                  NMFS anticipates the project will                    100 yards (in-water or on land) and                   take is anticipated (e.g., presence,
                                               create an acoustic footprint above                      slowing vessels to the minimum speed                  abundance, distribution, density);
                                               baseline of approximately 24 km2                        necessary. NMFS Alaska Marine                            • Nature, scope, or context of likely
                                               around the concentration of vessels and                 Mammal Viewing Guidelines may be                      marine mammal exposure to potential
                                               operational activities. There is a                      found at https://alaskafisheries.noaa.                stressors/impacts (individual or
                                               discountable potential for marine                       gov/pr/mm-viewing-guide.                              cumulative, acute or chronic), through
                                               mammals to incur PTS from the project                      The mitigation measures are designed               better understanding of: (1) Action or
                                               as source levels are relatively low, non-               to minimize Level B harassment by                     environment (e.g., source
                                               impulsive, and animals would have to                    avoiding starting work while marine                   characterization, propagation, ambient
                                               remain at very close distances for                      mammals are in the project area,                      noise); (2) affected species (e.g., life
                                               multiple hours, to accumulate acoustic                  lowering noise levels released into the               history, dive patterns); (3) co-occurrence
                                               energy at levels which could damage                     environment through vessel operation                  of marine mammal species with the
                                               hearing. Therefore, we do not believe                   protocol (e.g., tying vessels to barges,              action; or (4) biological or behavioral
                                               there is potential for Level A harassment               operating sonar equipment outside of                  context of exposure (e.g., age, calving or
                                               and there is no designated shut-down/                   marine mammal hearing ranges) and                     feeding areas);
                                               exclusion zone established for this                     following NMFS marine mammal                             • Individual marine mammal
                                               project. However, Harvest will                          viewing guidelines. There are no known                responses (behavioral or physiological)
                                               implement a number of mitigation                        marine mammal feeding areas,                          to acoustic stressors (acute, chronic, or
                                               measures designed to reduce the                         rookeries, or mating grounds in the                   cumulative), other stressors, or
                                               potential for and severity of Level B                   project area that would otherwise                     cumulative impacts from multiple
                                               harassment and minimize the acoustic                    potentially warrant increased mitigation              stressors;
                                               footprint of the project.                               measures for marine mammals or their                     • How anticipated responses to
                                                  Harvest will establish a 2,200 m safety              habitat. The proposed project area is                 stressors impact either: (1) Long-term
                                               zone from working vessels and along the                 within beluga whale critical habitat;                 fitness and survival of individual
                                               pipeline corridor and employ NMFS-                      however, use of the habitat is higher in              marine mammals; or (2) populations,
                                               approved protected species observers                    fall and winter when the project would                species, or stocks;
                                               (PSOs) to conduct marine mammal                         not occur nor would habitat be                           • Effects on marine mammal habitat
                                               monitoring for the duration of the                      permanently impacted other than the                   (e.g., marine mammal prey species,
                                               project. Prior to commencing activities                 presence of the pipelines on the                      acoustic habitat, or other important
                                               for the day or if there is a 30-minute                  seafloor. Thus mitigation to address                  physical components of marine
                                               lapse in operational activities, the PSO                beluga whale critical habitat is not                  mammal habitat); and
                                               will monitor the safety zone for marine                 warranted. Finally, the mitigation                       • Mitigation and monitoring
                                               mammals for 30 minutes. If no marine                    measures are practicable for the                      effectiveness.
                                               mammals are observed, operations may                    applicant to implement. NMFS has                         Harvest will abide by all monitoring
                                               commence. If a marine mammal(s) is                      determined that the mitigation measures               and reporting measures contained
                                               observed within the safety zone during                  provide the means of effecting the least              within their Marine Mammal
                                               the clearing, the PSO will continue to                  practicable impact on the affected                    Monitoring and Mitigation Plan, dated
                                               watch until either: (1) The animal(s) is                species or stocks and their habitat,                  March 15, 2018, with the additional
                                               outside of and on a path away from the                  paying particular attention to rookeries,             condition described below regarding
                                               safety zone; or (2) 15 minutes have                     mating grounds, and areas of similar                  number and location of observers. This
                                               elapsed. Once the PSO has determined                    significance.                                         plan was revised from the original that
                                               one of those conditions are met,                                                                              was available for public comment.
                                                                                                       Monitoring and Reporting                              During the public comment period,
                                               operations may commence.
                                                  Should a marine mammal be observed                     In order to issue an IHA for an                     Harvest found that there was limited
                                               during pipe-pulling, the PSO will                       activity, section 101(a)(5)(D) of the                 space on the vessels and safety issues
                                               monitor and carefully record any                        MMPA states that NMFS must set forth,                 prevented a PSO from being placed on
                                               reactions observed until the pipe is                    requirements pertaining to the                        the barge. In the revised plan, Harvest
                                               secure. No new operational activities                   monitoring and reporting of such taking.              moved the PSO from vessel-based to
                                               would be started until the animal leaves                The MMPA implementing regulations at                  land- or Tyonek Platform- based.
                                               the area. PSOs will also collect                        50 CFR 216.104 (a)(13) indicate that                  Harvest proposed that during the
                                               behavioral information on marine                        requests for authorizations must include              beginning of the project when activities
                                               mammals beyond the safety zone.                         the suggested means of accomplishing                  are occurring close to shore, a PSO will
                                                  Other measures to minimize the                       the necessary monitoring and reporting                be positioned on a 100-foot high bluff at
                                               acoustic footprint of the project include:              that will result in increased knowledge               Ladd Landing, which provides a marine
                                               The dive boat, sonar boat, work boat,                   of the species and of the level of taking             mammal sighting distance of
                                               and crew boat will be tied to the barge                 or impacts on populations of marine                   approximately 3 mi. As work progresses
                                               or anchored with engines off when                       mammals that are expected to be                       toward the Tyonek Platform, the PSO
                                               practicable; all vessel engines will be                 present in the proposed action area.                  shall be stationed on the Tyonek
                                               placed in idle when not working if they                 Effective reporting is critical both to               platform which also provides for an
                                               cannot be tied up to the barge or                       compliance as well as ensuring that the               approximately 100-foot high observation
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                                               anchored with engines off; and all sonar                most value is obtained from the required              point. The elevation of both these
                                               equipment will operate at or above 200                  monitoring.                                           observation points provides advantages
                                               kHz.                                                      Monitoring and reporting                            than working aboard a single vessel.
                                                  Finally, Harvest would abide by                      requirements prescribed by NMFS                       However, NMFS determined that a
                                               NMFS marine mammal viewing                              should contribute to improved                         single land-based observer was not
                                               guidelines while operating vessels or                   understanding of one or more of the                   sufficient and is therefore requiring
                                               land-based personnel (for hauled-out                    following:                                            monitoring based on where along the


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                                                                             Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices                                             19235

                                               pipeline corridor activities are                        other factors, such as the likely nature              foraging habitat, etc.). Most animals will
                                               occurring. That is, a PSO shall be                      of any responses (e.g., intensity,                    likely be transiting through the area;
                                               stationed at Ladd Landing when                          duration), the context of any responses               therefore, exposure would be brief.
                                               activities are occurring 0–2 km from                    (e.g., critical reproductive time or                  Animals may swim around the project
                                               shore. A PSO shall be stationed at the                  location, migration), as well as effects              area but we do not expect them to
                                               Tyonek Platform when activities are                     on habitat, and the likely effectiveness              abandon any intended path. We also
                                               occurring greater than 6.5 km from                      of the mitigation. We also assess the                 expect the number of animals exposed
                                               shore. When project activities are                      number, intensity, and context of                     to be small relative to population sizes.
                                               occurring from 2 to 6.5 km from shore,                  estimated takes by evaluating this                    Finally, Harvest will minimize potential
                                               a PSO shall be stationed at both Ladd                   information relative to population                    exposure of marine mammals to
                                               Landing and the Tyonek Platform. All                    status. Consistent with the 1989                      elevated noise levels by not
                                               other monitoring measures included in                   preamble for NMFS’s implementing                      commencing operational activities if
                                               the proposed IHA and in Harvest’s                       regulations (54 FR 40338; September 29,               marine mammals are observed within
                                               monitoring plan remain in effect. NMFS                  1989), the impacts from other past and                the ensonified area.
                                               has also included a provision in the IHA                ongoing anthropogenic activities are                     In summary and as described above,
                                               that PSOs will report on detectability                  incorporated into this analysis via their             the following factors primarily support
                                               and estimated range of observer                         impacts on the environmental baseline                 our determination that the impacts
                                               coverage during all marine mammal                       (e.g., as reflected in the regulatory status          resulting from this activity are not
                                               monitoring shifts. Please see the IHA,                  of the species, population size and                   expected to adversely affect the species
                                               posted at https://www.fisheries.noaa.                   growth rate where known, ongoing                      or stock through effects on annual rates
                                               gov/node/23111, for the complete set of                 sources of human-caused mortality, or                 of recruitment or survival:
                                               reporting requirements.                                 ambient noise levels). To avoid                          • No mortality is anticipated or
                                                  In recognition of the status of Cook                 repetition, our analysis applies to all the           authorized;
                                               Inlet beluga whales, Harvest is required                species listed in Table 6, given that                    • The project does not involve noise
                                               to submit weekly reports to NMFS                        NMFS expects the anticipated effects of               sources capable of inducing PTS and no
                                               documenting marine mammal                               the pipeline installation activities to be            injury is anticipated or authorized;
                                               observations, behavior, and ability to                  similar in nature. Where there are                       • Exposure would likely be brief
                                               detect marine mammals within the                        meaningful differences between species                given transiting behavior of marine
                                               monitoring zone. If Harvest fails to                    or stocks, or groups of species, in                   mammals in the action area, resulting
                                               abide by the mitigation, monitoring and/                anticipated individual responses to                   in, at most, temporary avoidance and
                                               or reporting conditions contained                       activities, impact of expected take on                modification to vocalization behavior,
                                               within the IHA or NMFS determines the                   the population due to differences in                  and diverting around the project area;
                                               authorized taking is having more than a                 population status, or impacts on habitat,                • The project area does not contain
                                               negligible impact on the species or stock               NMFS has identified species-specific                  concentrated foraging, mating, or
                                               of affected marine mammals, NMFS                        factors to inform the analysis.                       breeding habitat;
                                               may modify the mitigation or                               Marine mammal habitat may be                          • Marine mammal densities are low
                                               monitoring measures if doing so creates                 impacted by elevated sound levels, but                in the project area and the number of
                                               a reasonable likelihood of more                         these impacts would be temporary. In                  marine mammals potentially taken is
                                               mitigation and monitoring leading to                    addition to being temporary and short in              small compared to the population size;
                                               reduced impacts. Possible sources of                    overall duration, the acoustic footprint              and
                                               new data that could contribute to the                   of the pipeline installation activities is               • Harvest would monitor for marine
                                               decision to modify the mitigation or                    small relative to the overall distribution            mammals daily and minimize exposure
                                               monitoring measures include: results                    of the animals in the area and their use              to operational activities as required in
                                               from Harvest’s marine mammal                            of the area. Feeding behavior is not                  the IHA.
                                               monitoring report, information from                     likely to be significantly impacted, as no               Based on the analysis contained
                                               beluga whale researchers, and                           areas of biological significance for                  herein of the likely effects of the
                                               information from subsistence users or                   marine mammal feeding are known to                    specified activity on marine mammals
                                               local community residents.                              exist in the survey area. For beluga                  and their habitat, and taking into
                                                                                                       whales, there are no major river outfalls             consideration the implementation of the
                                               Negligible Impact Analysis and                                                                                monitoring and mitigation measures,
                                                                                                       which provide prey within the action
                                               Determination                                                                                                 NMFS finds that the total marine
                                                                                                       area.
                                                  NMFS has defined negligible impact                      The proposed project would create an               mammal take from the proposed activity
                                               as an impact resulting from the                         acoustic footprint around the project                 will have a negligible impact on all
                                               specified activity that cannot be                       area for an extended period time (3.6                 affected marine mammal species or
                                               reasonably expected to, and is not                      months) from April through September.                 stocks.
                                               reasonably likely to, adversely affect the              Noise levels within the footprint would
                                               species or stock through effects on                     reach or exceed 120 dB rms. We                        Small Numbers
                                               annual rates of recruitment or survival                 anticipate the 120 dB footprint to be                   As noted above, only small numbers
                                               (50 CFR 216.103). A negligible impact                   limited to 20km2 around the cluster of                of incidental take may be authorized
                                               finding is based on the lack of likely                  vessels and equipment used to install                 under Section 101(a)(5)(D) of the MMPA
                                               adverse effects on annual rates of                      the pipelines. The habitat within the                 for specified activities other than
                                               recruitment or survival (i.e., population-              footprint is not heavily used by marine               military readiness activities. The MMPA
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                                               level effects). An estimate of the number               mammals during the project time frame                 does not define small numbers and so,
                                               of takes alone is not enough information                (e.g., Critical Habitat Area 2 is                     in practice, where estimated numbers
                                               on which to base an impact                              designated for beluga fall and winter                 are available, NMFS compares the
                                               determination. In addition to                           use) and marine mammals are not                       number of individuals taken to the most
                                               considering estimates of the number of                  known to engage in critical behaviors                 appropriate estimation of abundance of
                                               marine mammals that might be ‘‘taken’’                  associated with this portion of Cook                  the relevant species or stock in our
                                               through harassment, NMFS considers                      Inlet (e.g., no known breeding grounds,               determination of whether an


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                                               19236                                   Federal Register / Vol. 83, No. 85 / Wednesday, May 2, 2018 / Notices

                                               authorization is limited to small                                      temporal or spatial scale of the                                       amount of take proposed is less than 3.5
                                               numbers of marine mammals.                                             activities.                                                            percent of all stocks except beluga
                                               Additionally, qualitative factors may be                                 Table 7 provides the quantitative                                    whales. For beluga whales, the amount
                                               considered in the analysis, such as the                                analysis informing our small numbers                                   of take proposed represents 12.8 percent
                                                                                                                      determination. For most species, the                                   of the population.
                                                                                TABLE 7—PERCENT OF STOCK PROPOSED TO BE TAKEN BY LEVEL B HARASSMENT
                                                                                                                                                                                             Abundance      Proposed take         % of
                                                                          Species                                                                  Stock                                      (Nbest)         (Level B)         population

                                               Beluga whale ..................................................       Cook Inlet .......................................................              312               2 40                12.8
                                               Humpback whale ............................................           Central North Pacific ......................................                 10,103                  5                0.04
                                               Killer whale ......................................................   Alaska Resident .............................................                 2,347                                    0.4
                                                                                                                     Gulf of Alaska, Aleutian, Bering Sea Tran-                                      587               3 10                 1.7
                                                                                                                       sient.
                                               Harbor porpoise ..............................................        Gulf of Alaska .................................................             31,046                100                 0.3
                                               Harbor seal .....................................................     Cook Inlet/Shelikof Strait ................................                  27,386                972                  3.5
                                               Steller sea lion ................................................     Western U.S. ..................................................              50,983                  6                0.01
                                               Gray whale ......................................................     Eastern North Pacific .....................................                  20,990                  5                0.02
                                               California sea lion ...........................................       U.S. ................................................................       296,750                  5               0.001



                                                  Based on the analysis contained                                       Based on the description of the                                      mentioned mitigation, monitoring and
                                               herein of the proposed activity                                        specified activity, the measures                                       reporting requirements are incorporated.
                                               (including the mitigation and                                          described to minimize adverse effects                                  Donna S. Wieting,
                                               monitoring measures) and the                                           on the availability of marine mammals
                                               anticipated take of marine mammals,                                                                                                           Director, Office of Protected Resources,
                                                                                                                      for subsistence purposes, and the                                      National Marine Fisheries Service.
                                               NMFS finds that small numbers of                                       mitigation and monitoring measures,
                                               marine mammals will be taken relative                                                                                                         [FR Doc. 2018–09242 Filed 5–1–18; 8:45 am]
                                                                                                                      NMFS has determined there will not be
                                               to the population size of the affected                                 an unmitigable adverse impact on
                                                                                                                                                                                             BILLING CODE 3510–22–P

                                               species or stocks.                                                     subsistence uses from Harvest’s
                                               Unmitigable Adverse Impact Analysis                                    proposed activities.                                                   DEPARTMENT OF COMMERCE
                                               and Determination
                                                                                                                      Endangered Species Act (ESA)                                           National Oceanic and Atmospheric
                                                  In order to issue an IHA, NMFS must
                                               find that the specified activity will not                                 Section 7(a)(2) of the Endangered                                   Administration
                                               have an ‘‘unmitigable adverse impact’’                                 Species Act of 1973 (ESA: 16 U.S.C.
                                               on the subsistence uses of the affected                                1531 et seq.) requires that each Federal                               RIN 0648–XF933
                                               marine mammal species or stocks by                                     agency insure that any action it
                                               Alaskan Natives. NMFS has defined                                                                                                             Takes of Marine Mammals Incidental to
                                                                                                                      authorizes, funds, or carries out is not
                                               ‘‘unmitigable adverse impact’’ in 50 CFR                                                                                                      Specified Activities; Taking Marine
                                                                                                                      likely to jeopardize the continued
                                               216.103 as an impact resulting from the                                                                                                       Mammals Incidental to Seabird and
                                                                                                                      existence of any endangered or
                                               specified activity (1) that is likely to                                                                                                      Shorebird Research and Monitoring in
                                                                                                                      threatened species or result in the                                    Massachusetts
                                               reduce the availability of the species to                              destruction or adverse modification of
                                               a level insufficient for a harvest to meet                             designated critical habitat. To ensure                                 AGENCY:  National Marine Fisheries
                                               subsistence needs by (i) causing the                                   ESA compliance for the issuance of                                     Service (NMFS), National Oceanic and
                                               marine mammals to abandon or avoid                                     IHAs, NMFS consults internally, in this                                Atmospheric Administration (NOAA),
                                               hunting areas; (ii) directly displacing                                                                                                       Commerce.
                                                                                                                      case with Alaska Regional Office,
                                               subsistence users; or (iii) placing
                                                                                                                      whenever we propose to authorize take                                  ACTION: Notice; issuance of an incidental
                                               physical barriers between the marine
                                               mammals and the subsistence hunters;                                   for endangered or threatened species.                                  harassment authorization.
                                               and (2) that cannot be sufficiently                                       On April 25, 2018, NMFS Alaska
                                                                                                                                                                                             SUMMARY:    In accordance with the
                                               mitigated by other measures to increase                                Region issued a Biological Opinion to
                                                                                                                                                                                             regulations implementing the Marine
                                               the availability of marine mammals to                                  NMFS Office of Protected Resources
                                                                                                                                                                                             Mammal Protection Act (MMPA) as
                                               allow subsistence needs to be met.                                     which concluded Harvest’s CIPL project                                 amended, notification is hereby given
                                                  The village of Tyonek engages in                                    is not likely to jeopardize the continued                              that NMFS has issued an incidental
                                               subsistence harvests; however, these                                   existence of Cook Inlet beluga whales,                                 harassment authorization (IHA) to the
                                               efforts are concentrated in areas such as                              the WDPS Steller sea lions, or Mexico                                  U.S. Fish and Wildlife Service (USFWS)
                                               the Susitna Delta where marine                                         and Western North Pacific humpback                                     to incidentally harass, by Level B
                                               mammals are known to occur in greater                                  whales DPSs or destroy or adversely                                    harassment only, marine mammals
                                               abundance. Harbor seals are the only                                   modify critical habitat.                                               during survey activities associated with
                                               species taken by Alaska Natives that
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                                                                                                                      Authorization                                                          the seabird and shorebird monitoring
                                               may also be harassed by the proposed
                                                                                                                                                                                             project at the Eastern Massachusetts
                                               project. However, any harassment to
                                                                                                                        NMFS has issued an IHA to Harvest                                    National Wildlife Refuge Complex
                                               harbor seals is anticipated to be short-
                                                                                                                      for the harassment of small numbers of                                 (Complex).
                                               term, mild, and not result in any
                                               abandonment or behaviors that would                                    eight marine mammal species incidental                                 DATES:This authorization is effective
                                               make the animals unavailable to Alaska                                 to pipeline installation activities in                                 from April 1, 2018 through March 31,
                                               Natives.                                                               Cook Inlet, provided the previously                                    2019.


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Document Created: 2018-05-02 00:49:44
Document Modified: 2018-05-02 00:49:44
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice; issuance of incidental harassment authorization.
DatesThe IHA is valid from April 25, 2018, through April 24, 2019.
ContactJaclyn Daly, Office of Protected Resources, NMFS, (301) 427-8401.
FR Citation83 FR 19224 
RIN Number0648-XF95

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