83_FR_26346 83 FR 26237 - Fisheries of the Exclusive Economic Zone Off Alaska; Yellowfin Sole Management in the Groundfish Fisheries of the Bering Sea and Aleutian Islands

83 FR 26237 - Fisheries of the Exclusive Economic Zone Off Alaska; Yellowfin Sole Management in the Groundfish Fisheries of the Bering Sea and Aleutian Islands

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 83, Issue 109 (June 6, 2018)

Page Range26237-26251
FR Document2018-12034

NMFS proposes regulations to implement Amendment 116 to the Fishery Management Plan for Groundfish of the Bering Sea and Aleutian Islands Management Area (BSAI FMP). If approved, Amendment 116 would limit access to the Bering Sea and Aleutian Islands (BSAI) Trawl Limited Access Sector (TLAS) yellowfin sole directed fishery by vessels that deliver their catch of yellowfin sole to motherships for processing. This proposed rule would establish eligibility criteria based on historical participation in the BSAI TLAS yellowfin sole directed fishery, issue an endorsement to those groundfish License Limitation Program (LLP) licenses that meet the eligibility criteria, and authorize delivery of BSAI TLAS yellowfin sole to motherships by only those vessels designated on a groundfish LLP license that is endorsed for the BSAI TLAS yellowfin sole directed fishery. This proposed action is necessary to prevent increased catcher vessel participation from reducing the benefits the fishery provides to historic and recent participants, mitigate the risk that a ``race for fish'' could develop, and help to maintain the consistently low rates of halibut bycatch in the BSAI TLAS yellowfin sole directed fishery. This proposed rule is intended to promote the goals and objectives of the Magnuson-Stevens Fishery Conservation and Management Act, Amendment 116, the BSAI FMP, and other applicable laws.

Federal Register, Volume 83 Issue 109 (Wednesday, June 6, 2018)
[Federal Register Volume 83, Number 109 (Wednesday, June 6, 2018)]
[Proposed Rules]
[Pages 26237-26251]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-12034]


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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

50 CFR Part 679

[Docket No. 170630613-8489-01]
RIN 0648-BH02


Fisheries of the Exclusive Economic Zone Off Alaska; Yellowfin 
Sole Management in the Groundfish Fisheries of the Bering Sea and 
Aleutian Islands

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

ACTION: Proposed rule; request for comments.

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SUMMARY: NMFS proposes regulations to implement Amendment 116 to the 
Fishery Management Plan for Groundfish of the Bering Sea and Aleutian 
Islands Management Area (BSAI FMP). If approved, Amendment 116 would 
limit access to the Bering Sea and Aleutian Islands (BSAI) Trawl 
Limited Access Sector (TLAS) yellowfin sole directed fishery by vessels 
that deliver their catch of yellowfin sole to motherships for 
processing. This proposed rule would establish eligibility criteria 
based on historical participation in the BSAI TLAS yellowfin sole 
directed fishery, issue an endorsement to those groundfish License 
Limitation Program (LLP) licenses that meet the eligibility criteria, 
and authorize delivery of BSAI TLAS yellowfin sole to motherships by 
only those vessels designated on a groundfish LLP license that is 
endorsed for the BSAI TLAS yellowfin sole directed fishery.
    This proposed action is necessary to prevent increased catcher 
vessel participation from reducing the benefits the fishery provides to 
historic and recent participants, mitigate the risk that a ``race for 
fish'' could develop, and help to maintain the consistently low rates 
of halibut bycatch in the BSAI TLAS yellowfin sole directed fishery. 
This proposed rule is intended to promote the goals and objectives of 
the Magnuson-Stevens Fishery Conservation and Management Act, Amendment 
116, the BSAI FMP, and other applicable laws.

DATES: Submit comments on or before July 6, 2018.

ADDRESSES: You may submit comments on this document, identified by FDMS 
Docket Number NOAA-NMFS-2017-0083, by any of the following methods:

[[Page 26238]]

     Electronic Submission: Submit all electronic public 
comments via the Federal e-Rulemaking Portal. Go to 
www.regulations.gov/#!docketDetail;D=NOAA-NMFS-2017-0083, click the 
``Comment Now!'' icon, complete the required fields, and enter or 
attach your comments.
     Mail: Submit written comments to Glenn Merrill, Assistant 
Regional Administrator, Sustainable Fisheries Division, Alaska Region 
NMFS, Attn: Ellen Sebastian. Mail comments to P.O. Box 21668, Juneau, 
AK 99802-1668.
    Instructions: Comments sent by any other method, to any other 
address or individual, or received after the end of the comment period, 
may not be considered by NMFS. All comments received are a part of the 
public record and will generally be posted for public viewing on 
www.regulations.gov without change. All personal identifying 
information (e.g., name, address), confidential business information, 
or otherwise sensitive information submitted voluntarily by the sender 
will be publicly accessible. NMFS will accept anonymous comments (enter 
``N/A'' in the required fields if you wish to remain anonymous).
    Electronic copies of Amendment 116 and the draft Environmental 
Assessment/Regulatory Impact Review prepared for this action 
(collectively the ``Analysis'') may be obtained from 
www.regulations.gov. Electronic copies of Amendments 80 and 39 to the 
BSAI FMP, and the Environmental Assessments/Regulatory Impact Reviews 
prepared for those actions also may be obtained from 
www.regulations.gov.
    Written comments regarding the burden-hour estimates or other 
aspects of the collection-of-information requirements contained in this 
rule may be submitted by mail to NMFS at the above address; and by 
email to [email protected] or by fax to (202)-395-5806.

FOR FURTHER INFORMATION CONTACT: Bridget Mansfield, 907-586-7228 or 
[email protected].

SUPPLEMENTARY INFORMATION:

Authority for Action

    NMFS manages the groundfish fisheries in the exclusive economic 
zone of the BSAI under the BSAI FMP. The North Pacific Fishery 
Management Council (Council) prepared the BSAI FMP under the authority 
of the Magnuson-Stevens Fishery Conservation and Management Act 
(Magnuson-Stevens Act), 16 U.S.C. 1801 et seq. Regulations governing 
U.S. fisheries and implementing the BSAI FMP appear at 50 CFR parts 600 
and 679.
    This proposed rule would implement Amendment 116 to the BSAI FMP. 
The Council submitted Amendment 116 for review by the Secretary of 
Commerce (Secretary), and a Notice of Availability (NOA) of Amendment 
116 was published in the Federal Register on May 18, 2018, with 
comments invited through July 17, 2018. Comments submitted on this 
proposed rule by the end of the comment period (See DATES) will be 
considered by NMFS and addressed in the response to comments in the 
final rule. Comments submitted on this proposed rule may address 
Amendment 116 or this proposed rule. However, all comments addressing 
Amendment 116 must be received by July 17, 2018, to be considered in 
the approval/disapproval decision on Amendment 116. Commenters do not 
need to submit the same comments on both the NOA and this proposed 
rule. All relevant written comments received by July 17, 2018, whether 
specifically directed to the FMP amendment, this proposed rule, or 
both, will be considered by NMFS in the approval/disapproval decision 
for Amendment 116 and addressed in the response to comments in the 
final rule.

Background

    In June 2017, the Council adopted Amendment 116. If approved by the 
Secretary, Amendment 116 would require that a vessel be designated on a 
groundfish LLP license with a BSAI TLAS yellowfin sole directed fishery 
endorsement for that vessel to be used to harvest yellowfin sole in the 
BSAI TLAS yellowfin sole directed fishery and deliver that catch to a 
mothership. The terms ``directed fishery'' and ``mothership'' are 
defined at 50 CFR 679.2. A groundfish LLP license would be eligible for 
such an endorsement if it is credited with at least one qualifying 
landing, where the term ``qualifying landing'' would be defined under 
this proposed rule as a legal trip target landing in the BSAI TLAS 
yellowfin sole directed fishery made to a mothership in any one year 
from 2008 through 2015. Under this proposed rule, the term ``trip 
target'' would be defined as a groundfish species that is retained in 
an amount greater than the retained amount of any other groundfish 
species for that trip. For those vessels used to make a qualifying 
landing, only one groundfish LLP license on which the vessel was 
designated during the qualifying period would be eligible to receive 
the endorsement under this proposed rule. If a vessel that made at 
least one legal trip target landing in the BSAI TLAS yellowfin sole 
directed fishery from 2008 through 2015 (qualifying period) was 
designated on more than one groundfish LLP license during the 
qualifying period, the vessel owner would be required to select one 
groundfish LLP license that would receive credit for the qualifying 
landing(s) and receive a BSAI TLAS yellowfin sole directed fishery 
endorsement.
    The following sections of this preamble provide a description of 
(1) the LLP, the BSAI TLAS yellowfin sole directed fishery, and related 
management programs; (2) the need for this proposed rule; and (3) the 
proposed eligibility criteria and process for obtaining new 
endorsements authorizing delivery of BSAI TLAS yellowfin sole directed 
fishery catch to motherships.

Description of the License Limitation Program, the BSAI TLAS Yellowfin 
Sole Directed Fishery, and Related Management Programs

License Limitation Program

    The Council and NMFS have long sought to control the amount of 
fishing effort in the BSAI groundfish fisheries to ensure that the 
fisheries are conservatively managed and do not exceed established 
biological thresholds. One of the measures used by the Council and NMFS 
to control fishing effort is the LLP, which limits access to the 
groundfish fisheries in the BSAI. With some limited exceptions, the LLP 
requires that persons hold and designate on a groundfish LLP license 
each vessel that is used to fish in Federally managed groundfish 
fisheries. The LLP is intended to prevent unlimited entry into 
groundfish fisheries managed under the BSAI FMP.
    The LLP for BSAI groundfish fisheries was recommended by the 
Council as Amendment 39 to the BSAI FMP. The Council adopted the LLP 
for BSAI groundfish in June 1995, and NMFS approved Amendment 39 on 
September 12, 1997. NMFS published the final rule to implement the LLP 
on October 1, 1998 (63 FR 52642), and fishing under the LLP began on 
January 1, 2000. The preamble to the final rule implementing the BSAI 
groundfish LLP and the EA/RIR/IRFA prepared for that action describe 
the rationale and specific provisions of the LLP in greater detail (see 
ADDRESSES) and are not repeated here.
    The key components of the LLP are briefly summarized as follows. 
The BSAI groundfish LLP established specific criteria that must be met 
to allow a vessel to receive a groundfish

[[Page 26239]]

LLP license and continue to be eligible to fish in directed groundfish 
fisheries managed under the BSAI FMP. Vessels under 32 feet length 
overall (LOA) in the BSAI, and vessels using jig gear in the BSAI that 
are less than 60 feet LOA and that deploy no more than five jigging 
machines are exempt from the requirements to have a groundfish LLP 
license.
    Under the LLP, NMFS issued licenses that (1) endorse fishing 
activities in specific regulatory areas in the BSAI; (2) restrict the 
length of the vessel on which the LLP license may be used; (3) 
designate the fishing gear that may be used on the vessel (i.e., trawl 
or non-trawl gear designations); and (4) designate the type of vessel 
operation permitted (i.e., specify whether the vessel designated on the 
LLP license may operate as a catcher vessel or as a catcher/processor). 
LLP licenses are issued so that the endorsements for specific 
regulatory areas, gear designations, and vessel operational types are 
non-severable from the LLP license (i.e., once issued, the components 
of the LLP license cannot be transferred independently). By creating 
LLP licenses with these characteristics, the Council and NMFS limited 
the ability of a person to use an assigned LLP license--which was 
derived from the historic fishing activity in one area with a specific 
fishing gear or operational type--in other areas, with other gears, or 
for other operational types. The Council's intent of such limitation 
was to curtail the ability of the LLP license holder to expand fishing 
capacity, which could decrease the benefits derived by the existing 
participants from those other fisheries. The preamble to the final rule 
implementing the BSAI groundfish LLP provides a more detailed 
explanation of the rationale for specific provisions in the LLP (63 FR 
52642, October 1, 1998).
    In order to receive a BSAI groundfish LLP license, a vessel owner 
had to meet minimum landing requirements with the vessel during a 
specific time frame. Specifically relevant to this proposed rule, a 
vessel owner received a BSAI groundfish LLP license endorsed for a 
specific regulatory area in the BSAI (the Bering Sea (BS), the Aleutian 
Islands (AI), or both) if that vessel met specific harvesting and 
landing requirements for that specific regulatory area during the 
qualifying periods established in the final rule implementing the LLP 
(63 FR 52642, October 1, 1998). NMFS issued groundfish LLP licenses 
with a catcher vessel (CV) operation type if a vessel caught but did 
not process its catch at-sea during the specific qualifying periods; 
and NMFS issued groundfish LLP licenses with a catcher/processor (CP) 
endorsement if a vessel caught and processed its own catch at-sea 
during the specific qualifying periods (63 FR 52642, October 1, 1998). 
As an example, in order to receive a groundfish LLP endorsed for trawl 
gear in the AI with a CP designation, a vessel must have met the 
minimum groundfish harvesting and landing requirements for the AI using 
trawl gear during the qualifying period, and must have processed the 
qualifying catch on board the vessel.

BSAI TLAS Yellowfin Sole Directed Fishery and Amendment 80

    The yellowfin sole (Limanda aspera) is one of the most abundant 
flatfish species in the eastern Bering Sea and is the target of the 
largest flatfish fishery in the United States. They inhabit the eastern 
Bering Sea shelf and are considered one stock. Abundance in the 
Aleutian Islands region is negligible. The BSAI yellowfin sole directed 
fishery was historically managed under a total allowable catch (TAC) 
limit that could be harvested by eligible vessels. In 1998, regulations 
allocated a portion of the TAC to the Community Development Quota (CDQ) 
Program (63 FR 8356, February 19, 1998). The allocation of the BSAI 
yellowfin sole TAC was further modified in the late 2000s when the 
Council recommended and NMFS approved and implemented Amendment 80 to 
the BSAI FMP (72 FR 52668, September 14, 2007).
    Along with other measures, Amendment 80 allocated six BSAI non-
pollock groundfish species among two trawl fishery sectors. The six 
species, known as ``Amendment 80 species,'' include Aleutian Islands 
Pacific ocean perch, BSAI Atka mackerel, BSAI flathead sole, BSAI 
Pacific cod, BSAI rock sole, and BSAI yellowfin sole. These species are 
allocated for harvest between the Amendment 80 sector, comprised of 
specific vessels identified under Amendment 80, and all other BSAI 
trawl fishery participants not in the Amendment 80 sector. The other 
BSAI trawl fishery participants include American Fisheries Act (AFA) 
CPs, AFA CVs, and non-AFA CVs. Collectively, this group of other, or 
non-Amendment 80, trawl fishery participants comprises the BSAI TLAS. 
The BSAI TLAS is defined at 50 CFR 679.2. The BSAI TLAS fisheries are 
conducted in the BSAI using trawl gear, using non-Amendment 80 vessels 
designated on a non-Amendment 80 LLP license, and do not include CDQ 
groundfish fisheries or fishing for CDQ groundfish.
    Each year, NMFS allocates the initial total allowable catch (ITAC) 
of the six Amendment 80 species, as well as crab and halibut prohibited 
species catch (PSC) limits, between the Amendment 80 sector and the 
BSAI TLAS. Allocations made to the Amendment 80 sector are exclusive to 
the Amendment 80 sector and not subject to harvest in other fishery 
sectors. The Amendment 80 sector is precluded from harvesting Amendment 
80 species allocated to the BSAI TLAS. The Council's intent in 
establishing the BSAI TLAS was to provide harvesting opportunities for 
AFA CPs, AFA CVs, and non-AFA CVs.
    The ITAC represents the amount of TAC for each Amendment 80 species 
that is available for harvest after allocations to the CDQ program and 
the incidental catch allowance (ICA) have been subtracted. The ICA is 
an amount set aside for the incidental harvest of each Amendment 80 
species by non-Amendment 80 vessels targeting other groundfish species 
in non-trawl fisheries and in the BSAI TLAS fisheries. The annual 
proportion of yellowfin sole ITAC allocated to the Amendment 80 sector 
and the BSAI TLAS depends on the amount at which the yellowfin sole 
ITAC is set. As the amount of ITAC for BSAI yellowfin sole increases, 
the proportion of the ITAC assigned to the BSAI TLAS also increases.
    To further accommodate yellowfin sole harvest opportunities for the 
BSAI TLAS, the Amendment 80 Program relieves AFA sideboard limits for 
yellowfin sole when the yellowfin sole ITAC is equal to or greater than 
125,000 metric tons (mt). The lifting of AFA sideboard limits for 
yellowfin sole allows AFA vessels to increase their yellowfin sole TLAS 
harvest, particularly in periods of reduced availability of pollock. 
Implementation of the AFA included the establishment of harvesting and 
processing limits, known as sideboards, to protect vessels and 
processors in other, non-pollock fisheries from spillover effects 
resulting from the rationalization and privatization of the BSAI 
pollock fishery. The need for AFA sideboard limits for yellowfin sole 
was reduced with Amendment 80, because most of the yellowfin sole ITAC 
is allocated to the Amendment 80 sector for exclusive harvest, and AFA 
vessels no longer directly compete with the Amendment 80 sector for 
yellowfin sole. Since 2008, the yellowfin sole ITAC has been higher 
than 125,000 mt, so yellowfin sole sideboard limits have not been in 
place for AFA vessels since implementation of Amendment 80. Additional 
detail on the rationale for the specific allocations in the BSAI TLAS 
yellowfin sole fishery, and the management of AFA sideboards is 
provided in the final rule

[[Page 26240]]

implementing Amendment 80 (72 FR 52668, September 14, 2007).
    Although the Council was clear in its intent to prohibit Amendment 
80 vessels from harvesting Amendment 80 species allocated to the BSAI 
TLAS, the Council did not specifically address during its development 
of Amendment 80 whether Amendment 80 vessels should be eligible to 
serve as processing platforms for the BSAI TLAS sector. A vessel that 
receives and processes groundfish from other vessels is referred to as 
a ``mothership'' (see definition at 50 CFR 679.2). Although Amendment 
80 vessels operate as CPs in the Amendment 80 sector (i.e., the vessels 
catch and process their own catch), Amendment 80 vessels meet the 
regulatory definition of a mothership when they receive and process 
catch from catcher vessels fishing in the BSAI TLAS fisheries.
    The final rule implementing Amendment 80 clarified that Amendment 
80 vessels could be used as motherships for catcher vessels fishing in 
the BSAI TLAS fisheries, based on public comments received on the 
proposed rule to implement Amendment 80, further analysis by NMFS, and 
the lack of clearly stated Council intent to the contrary. The final 
rule implementing Amendment 80 modified the proposed regulations to 
permit this activity, noted that this revision accommodated one 
Amendment 80 vessel that had historically been used as a mothership, 
and acknowledged that the revision provided for potential future growth 
in the use of Amendment 80 vessels as motherships in the BSAI TLAS. A 
detailed description of the Council's intent and NMFS' actions 
regarding limitations of Amendment 80 vessels catching, receiving, and 
processing fish assigned to the BSAI TLAS is provided in the proposed 
rule (72 FR 30052, May 30, 2007) and in the final rule implementing 
Amendment 80 (72 FR 52668, September 14, 2007).

Increased Participation in the Offshore BSAI TLAS Yellowfin Sole 
Directed Fishery

    The current BSAI TLAS yellowfin sole directed fishery is almost 
entirely an offshore fishery composed of two primary groups: (1) AFA 
CPs, and (2) AFA and non-AFA CVs delivering yellowfin sole to AFA and 
Amendment 80 CPs operating as motherships. Section 2.7.1.1 of the 
Analysis considered by the Council for this action noted that two 
stationary floating processors participated in the fishery as 
motherships prior to 2009. Although those processors did not 
participate in the fishery after 2008, data from landings to those 
vessels were included in the analysis of impacts of the alternatives. 
For purposes of this proposed rule a stationary floating processor is 
considered a mothership. In this preamble, NMFS uses the term 
``offshore sector'' when referring to vessels that are harvesting BSAI 
TLAS yellowfin sole and either delivering that catch to motherships for 
processing or processing their own catch. AFA CPs participate in the 
offshore sector by (1) catching and processing yellowfin sole (i.e., 
operating as a CP); (2) receiving and processing deliveries of 
yellowfin sole from CVs (i.e., operating as a mothership); or (3) 
catching and delivering their harvest to other CPs operating as 
motherships for processing (i.e., operating as a CV). No AFA CPs have 
operated solely as motherships (i.e., vessels that do not harvest fish 
and only receive catch for processing) in the BSAI TLAS yellowfin sole 
directed fishery since it began in 2008.
    The BSAI TLAS yellowfin sole TAC was not fully harvested during the 
first five years of the fishery (2008 through 2012) due to limited 
fishing effort combined with high allocations. During this five-year 
period, harvests ranged from a low of 31 percent of the TAC in 2009 to 
a high of 87 percent of the TAC in 2010. Since 2013, the BSAI TLAS 
yellowfin sole TAC has been more fully harvested with at least 93 
percent of the TAC harvested in each year (Section 2.6.1.2 of the 
Analysis).
    Since implementation of the BSAI TLAS yellowfin sole directed 
fishery in 2008, the number of AFA CPs actively fishing and processing 
has ranged from 8 to 12 vessels. Until 2015, AFA CPs harvested about 85 
percent of the total catch in the BSAI TLAS yellowfin sole directed 
fishery. However, the percentage of total catch harvested by AFA CPs 
has diminished each year since 2015, and comprised approximately 42 
percent of the total harvest in 2017. Harvest patterns of AFA CPs also 
have changed since the inception of the fishery. From 2008 to 2010, 
participating AFA CPs fished from January 20th through February and 
occasionally into March or April each year. Starting in 2011, 
prosecution of the fishery by AFA CPs developed into two distinct 
fishing patterns. The first pattern consists of most participating AFA 
CPs fishing for only two weeks beginning January 20th each year. The 
second pattern generally consists of two AFA CPs fishing all year. 
Section 2.7.1.1 of the Analysis provides additional detail on the 
participation and harvesting patterns in the BSAI TLAS yellowfin sole 
fishery.
    From 2008 through 2014, the annual number of AFA and non-AFA CVs 
participating in the BSAI TLAS yellowfin sole offshore sector ranged 
from zero to three vessels. The annual number of participating CVs 
increased to six in 2015 and to nine in 2016. In 2017, eight CVs 
participated in the fishery, with one CV being a new entrant to the 
fishery. The CV share of the total BSAI TLAS yellowfin sole directed 
fishery harvest rose from an average of 17 percent each year from 2008 
through 2014 to 45 percent in 2015, 48 percent in 2016, and 58 percent 
in 2017 (Section 2.7.1.1 of the Analysis).
    Harvest patterns for CVs in the BSAI TLAS yellowfin sole directed 
fishery have also changed over time. In 2008, participating CVs fished 
BSAI TLAS yellowfin sole from March until December. After the first 
year of the fishery, CVs fished BSAI TLAS yellowfin sole in April, 
September, and October. Starting in 2012, CVs fished BSAI TLAS 
yellowfin sole until the season ended or NMFS closed the fishery to 
directed fishing. From 2012 through 2015, this meant that CVs fished in 
the BSAI TLAS yellowfin sole directed fishery throughout most of the 
year. However, in 2016 and 2017, the fishing season was significantly 
shortened, with NMFS closing the fishery in June and May, respectively, 
due to the TAC being reached. Section 2.7.1.1 of the Analysis provides 
additional detail on the participation and harvesting patterns in the 
BSAI TLAS yellowfin sole fishery.
    CPs operating as motherships take deliveries of harvested BSAI TLAS 
yellowfin sole from CVs and CPs acting as CVs for at-sea processing. 
Only one Amendment 80 CP acting as a mothership participated in the 
fishery from 2008 through 2014. From 2015 through 2017, the number of 
CPs operating as motherships and receiving catch from CVs expanded to 
seven vessels. In 2017, six Amendment 80 CPs and one AFA CP operated as 
motherships for CVs in the BSAI TLAS yellowfin sole directed fishery. 
The increased use of Amendment 80 vessels operating as motherships has 
increased opportunities for CV deliveries. This increased opportunity 
is demonstrated by the increased number of CVs that participated in 
2015 through 2017, and the higher proportion of BSAI TLAS yellowfin 
sole catch that was harvested by CVs in 2015 through 2017 relative to 
previous years. Section 2.7.1.1 of the Analysis provides additional 
detail on the factors affecting mothership patterns in the BSAI TLAS 
yellowfin sole fishery.

[[Page 26241]]

    The potential exists for additional motherships and CVs to 
participate in the BSAI TLAS yellowfin sole directed fishery. Section 
2.7.1.1 of the Analysis estimates that up to seven additional Amendment 
80 CPs could enter the BSAI TLAS yellowfin sole offshore sector as 
motherships based on a range of factors described in the Analysis. 
These motherships could provide processing capacity for up to 21 
additional CVs. These estimates likely represent the maximum potential 
expansion of capacity in the BSAI TLAS yellowfin sole directed fishery. 
Section 2.7.1.1 of the Analysis provides additional detail on the 
potential for new motherships and CVs to enter the BSAI TLAS yellowfin 
sole fishery.

Halibut Bycatch in the BSAI TLAS Yellowfin Sole Directed Fishery

    NMFS monitors the bycatch of halibut in the BSAI TLAS yellowfin 
sole directed fishery against the halibut PSC limits established for 
the fishery, and will close or otherwise restrict trawl harvests of 
BSAI TLAS yellowfin sole if halibut PSC limits are projected to be 
reached. Fishery closures due to reaching halibut PSC limits can occur 
before the BSAI TLAS yellowfin sole TAC is fully harvested, thereby 
reducing overall revenue to vessel operators and crew. To avoid this 
outcome, vessel operators may accelerate fishing operations to maximize 
harvest of yellowfin sole before the halibut PSC limit is reached.
    The halibut PSC limit for the BSAI TLAS yellowfin sole directed 
fishery ranged between 162 to 241 mt from 2008 through 2014, with the 
halibut PSC limit being exceeded in 2013 by 18 mt. In 2014, 60 mt of 
halibut PSC was reapportioned from the BSAI TLAS Pacific cod fishery to 
the BSAI TLAS yellowfin sole fishery to allow the fishery to remain 
open for the rest of the year for participants to harvest the remaining 
BSAI TLAS yellowfin sole TAC. From 2015 through 2017, the halibut PSC 
limit was between 150 to 167 mt, but it was not reached in any of these 
years before the fishery closed when the BSAI TLAS yellowfin sole TAC 
was fully harvested. Halibut mortality rates for the BSAI TLAS 
yellowfin sole directed fishery for 2008 through 2017 ranged from 1.11 
to 6.55 kg halibut per mt groundfish, with a generally increasing trend 
from 2010 through 2016, followed by a drop in 2017.

Need for Action

    Given the recent and dramatic increases in CV and mothership 
participation that have occurred in the BSAI TLAS yellowfin sole 
directed fishery and the expectation of additional capacity entering 
the fishery, the Council identified three management and conservation 
concerns that it wanted to address with Amendment 116: (1) The 
likelihood of decreasing benefits from the fishery for long-time, 
historic, and recent participants given the increasing number of 
participants in the fishery and shorter fishing seasons; (2) an 
increased risk of a race for fish; and (3) the potential for higher 
halibut bycatch. The Council noted the increase in the number of 
participating CVs combined with recent lower BSAI TLAS yellowfin sole 
allocations was resulting in a fully utilized fishery with increasingly 
shorter fishing seasons. Shorter fishing seasons can be more difficult 
for NMFS to manage catch within established limits and increase the 
incentives for vessels to harvest quickly in order to harvest a greater 
share of the TAC before it is fully harvested and the fishery is 
closed. This ``race for fish'' may result in fishing with less care and 
the potential for increased halibut PSC rates which could lead to 
closure of the fishery before the TAC is fully harvested. Public 
testimony to the Council included concerns that the shorter fishing 
season was having a negative effect on access to the fishery by CVs 
that participated in the fishery prior to 2015.
    In order to address these concerns, the Council determined that 
management measures are needed that would limit access to the BSAI TLAS 
yellowfin sole directed fishery by vessels harvesting BSAI TLAS 
yellowfin sole and delivering their catch to a mothership for 
processing. Specifically, the Council recommended as its preferred 
alternative for Amendment 116 that a vessel would be eligible to 
participate in the BSAI TLAS yellowfin sole directed fishery and 
deliver its catch to a mothership only if that vessel was designated on 
a groundfish LLP license that has been credited with at least one trip 
target landing in the BSAI TLAS yellowfin sole directed fishery made to 
a mothership or catcher/processor in any one year from 2008 through 
2015. The Council recognized that this eligibility criterion may 
qualify more groundfish LLP licenses than vessels with a qualifying 
landing, because some vessels with a qualifying landing may have been 
designated on more than one groundfish LLP license during the 
qualifying period. Therefore, the Council also recommended that if a 
vessel with a qualifying landing was designated on more than one 
groundfish LLP license during the qualifying period, only those 
groundfish LLP licenses on which the vessel was designated, when the 
vessel was used to make at least one trip target landing in a BSAI TLAS 
fishery from 2008 through 2015, would be eligible to be credited with a 
qualifying landing. In such cases, the vessel owner would be required 
to select one of these eligible groundfish LLP licenses to receive 
credit with the qualifying landings. Under the proposed rule, 
groundfish LLP licenses that meet the eligibility criteria and are 
credited with a qualifying landing would receive from NMFS a groundfish 
LLP endorsement that would authorize participation in the offshore BSAI 
TLAS yellowfin sole directed fishery. Vessels not designated on 
groundfish LLP licenses that receive the endorsement would be 
prohibited from participating in the BSAI TLAS yellowfin sole directed 
fishery and delivering their catch to a mothership for processing.
    The Council determined and NMFS agrees that limiting CV access to 
the offshore BSAI TLAS yellowfin sole directed fishery is necessary to 
ease the likelihood of increased harvesting pressure and the shortening 
of the fishing season, mitigate the risk that a ``race for fish'' could 
continue to develop and accelerate, and help to maintain the 
consistently low rates of halibut bycatch in the BSAI TLAS yellowfin 
sole directed fishery. The Council also determined, and NMFS agrees, 
that this proposed rule would reasonably balance the need to limit 
additional future and very recent speculative entry to the BSAI TLAS 
yellowfin sole directed fishery to help control the pace of fishing 
with the need to provide continued access and benefits to historic, 
long time and more recent participants.
    The Council determined and NMFS agrees that the proposed action 
would likely prevent the fishing season from shortening further because 
it removes the ability for additional capacity to enter the fishery and 
harvest the TAC or reach halibut PSC limits more quickly. As described 
in Section 2.7.1.2 of the Analysis, the fishing seasons in 2016 and 
2017 were the shortest on record for this fishery at the time of the 
highest levels of CV participation and with CVs harvesting the highest 
proportion of the fishery's TAC. The pace of fishing during those 
fishing seasons may have increased due to additional speculative entry 
and concerns by ongoing participants about the increasing competition. 
This proposed rule could help lengthen the fishing season and mitigate 
a ``race for fish'' by limiting the eligible groundfish LLP licenses, 
such that participation is generally

[[Page 26242]]

representative of the 2015 fishing year, when the season lasted until 
late in the year. This proposed rule also could help lengthen the 
fishing season and mitigate a ``race for fish'' by allowing eligible 
CVs more flexibility in fishing operations through predictable levels 
of competition. That flexibility may help improve fishing efficiency 
and reduce halibut PSC in the fishery by allowing vessels to take steps 
to reduce halibut PSC, such as leaving or avoiding areas of high 
halibut concentration. At a minimum, the proposed action is expected to 
minimize further negative impact on the resources that could occur if 
CV participation in the fishery were maintained at 2016 levels or 
allowed to continue to increase. The proposed action may also help to 
facilitate voluntary best practices agreements between CVs and AFA CPs 
in the BSAI TLAS yellowfin sole directed fishery to avoid halibut PSC. 
The Council also considered whether this proposed action could have 
adverse impacts on other fisheries, specifically the BSAI TLAS Pacific 
cod fishery, if CVs or motherships were displaced from participation in 
the BSAI TLAS yellowfin sole fishery. As described in Section 2.7.2.1 
of the Analysis and later in this preamble, the Council concluded, and 
NMFS agrees, that such adverse impacts are not likely.
    Under the LLP, a license can be transferred to a different vessel 
that is eligible to be designated on that LLP license, but only one 
vessel can be designated on an LLP license at any given time. 
Additionally, a vessel may be designated on more than one LLP license 
at one time. Therefore, the number of eligible groundfish LLP licenses 
presented in this proposed rule and the Analysis represents the maximum 
number of CVs that NMFS currently has determined would be eligible to 
conduct directed fishing for BSAI TLAS yellowfin sole. If Amendment 116 
is approved and this proposed rule is finalized, fewer and/or different 
CVs designated on groundfish LLP licenses with a BSAI TLAS yellowfin 
sole directed fishery endorsement may be used to conduct directed 
fishing for BSAI TLAS yellowfin sole and deliver the catch to a 
mothership. The Analysis uses the current groundfish LLP license vessel 
designations to describe the likely impacts of the proposed action, 
because it is not possible to know how the vessel designations on 
groundfish LLP licenses may change in the future.
    The Council considered a range of options that would qualify a 
groundfish LLP license for a BSAI TLAS yellowfin sole directed fishery 
endorsement, including: (1) How eligible landings would be determined; 
(2) the range of years during which eligible landings would need to be 
made (i.e., qualifying period); (3) the number of years during the 
qualifying period in which eligible landings would need to be made; and 
(4) whether the requirement for a BSAI TLAS yellowfin sole directed 
fishery endorsement would be removed under specific TAC conditions. In 
addition to other factors considered and addressed in the Analysis, the 
Council and NMFS considered the proposed action's consistency with 
allocations initially made under the Amendment 80 Program, its 
potential impacts on the BSAI TLAS Pacific cod fishery, and whether 
this proposed action would constitute a limited access privilege 
program as that term is defined under the Magnuson-Stevens Act. The 
following briefly summarizes these options and key considerations.

Why are qualifying landings based on trip target rather than directed 
fishing?

    At its February 2017 meeting, the Council clarified that 
eligibility criteria should be based on trip target landings rather 
than directed fishing landings. Directed fishing is defined as any 
fishing activity that results in retention of an amount of a species on 
board a vessel that is greater than the maximum retainable amount for 
that species (see definition at 50 CFR 679.2). Under this definition, a 
vessel may be targeting and retaining Pacific cod but also retaining 
incidentally caught yellowfin sole at an amount that exceeds the 
maximum retainable amount for yellowfin sole. NMFS would consider the 
vessel to be directed fishing for Pacific cod and directed fishing for 
yellowfin sole in such a situation. Thus, limiting access to the BSAI 
TLAS yellowfin sole directed fishery based on a history of directed 
fishing activity could result in CVs meeting minimum landings 
requirements based on incidental catch of yellowfin sole.
    Under this proposed rule, ``trip target'' would be defined as a 
landing in which the amount of retained BSAI TLAS yellowfin sole is 
greater than the retained amount of any other groundfish species for 
that trip. The Council's intent with this action is to provide 
endorsements to those CVs that were intentionally targeting yellowfin 
sole in the BSAI TLAS yellowfin sole directed fishery and not to 
provide endorsements to CVs that were intentionally targeting other 
groundfish species but retaining their incidental catch of yellowfin 
sole. Using trip target to determine eligibility would limit the 
potential for a vessel to qualify for participation in the BSAI TLAS 
yellowfin sole directed fishery based on the vessel's incidental catch 
of yellowfin sole. This is consistent with previous eligibility 
criteria for limiting access to some fisheries based on trip target, 
rather than directed fishing activity. In the case of this proposed 
action, the use of trip target to establish qualification for the BSAI 
TLAS yellowfin sole directed fishery endorsement would result in the 
same number of LLP licenses qualifying for the BSAI TLAS yellowfin sole 
directed fishery endorsement as there were CVs that participated in the 
fishery for any one year during the proposed qualifying period.

Why was the range of qualifying years selected?

    The Council considered two ranges of years for determining 
qualifying landings; 2008 through 2015 and 2008 through 2016. The 
Council selected 2008 as the start of both qualifying periods because 
2008 was the first year of the BSAI TLAS yellowfin sole directed 
fishery. The Council ended one qualifying period with 2015, because 
2015 is the year the Council initiated the analysis for Amendment 116 
and the last year of participation in the fishery prior to the 
Council's announced control date of October 13, 2015. The Council ended 
the other qualifying period with 2016 to allow consideration of the 
most recent participants based on public testimony. In determining the 
two options for a qualifying period, the Council also took into 
consideration participation in the fishery prior to 2008 and during 
2017. The Council selected 2008 through 2015 as its preferred 
qualifying period for eligibility for a BSAI TLAS yellowfin sole 
directed fishery endorsement. In selecting the 2008 through 2015 
period, the Council considered the potential for future entry of 
capacity into the fishery, while also recognizing existing 
participation.
    Under the 2008 through 2015 qualifying period that had at least one 
qualifying landing made in any one year during the period, the Analysis 
indicates that a total of eight LLP licenses would be eligible to 
receive a BSAI TLAS yellowfin sole directed fishery endorsement. Under 
the 2008 through 2016 qualifying period with at least one qualifying 
landing made in any one year during the period, ten LLP licenses would 
be eligible to receive a BSAI TLAS yellowfin sole directed fishery 
endorsement. The Council was aware of the potential for additional 
effort to enter the BSAI TLAS yellowfin sole directed fishery while the 
Council considered Amendment 116, and was aware that additional or 
speculative

[[Page 26243]]

effort could enter the fishery to establish some history in it, which 
could impact existing participants in the fishery by further shortening 
the fishing season and increasing the ``race for fish'' (see Section 
2.7.1.1 of the Analysis for a description of fishing patterns and 
seasons).
    To dampen the effect of additional or speculative entry into the 
BSAI TLAS yellowfin sole directed fishery, the Council adopted a 
control date of October 13, 2015, which was published by NMFS in the 
Federal Register (80 FR 72408, November 19, 2015). Although control 
dates are not binding on future Council actions, the Council clearly 
indicated when it adopted the control date that this control date could 
be used to limit ``future access to the offshore sector of the BSAI 
TLAS for yellowfin sole.'' The Council also clearly noted that the 
control date was intended to ``promote awareness that the Council may 
develop a future management action,'' and ``to provide notice to the 
public that any current or future access to the offshore sector of the 
BSAI trawl limited access fishery for yellowfin sole may be affected or 
restricted; and to discourage speculative participation and behavior in 
the fishery while the Council considers whether to initiate a 
management action to further limit access to the fishery.'' The 
selection of the 2008 through 2015 qualifying period is consistent with 
the Council's clearly stated policy objectives and the public was 
clearly noticed that catch in 2016 may not be considered.
    After the Council established the control date in 2015, the number 
of participating CVs increased from six in 2015 to nine in 2016, which 
is triple the maximum level of CV participation from 2008 through 2014 
and nearly four times the average level of CV participation from 2008 
through 2014. It is also a 33 percent increase over CV participation in 
2015. Because the Council identified in 2015 the recent increase in CVs 
participating in the fishery to be the primary cause of shortened 
fishing seasons and the resulting ``race for fish,'' the Council was 
concerned that the even greater increase in CV participation after 2015 
would further shorten the fishing season, increasing the risk of a 
``race for fish.'' The Council considered, but rejected, ending the 
qualifying period in either 2016 or 2017, because the pace of fishing 
and harvest pressure increased in those years concurrent with the trend 
of increasing CV participation, including two vessels that participated 
in 2016 and another in 2017 that had never before been used to 
participate in the fishery. Those factors caused the fishery to close 
in June in 2016 and in May in 2017, compared to the November closure in 
2015, which was more typical of previous season lengths. Based on the 
same factors, NMFS also determined that the 2008-2015 qualifying period 
best addresses the need to reduce fishing pressure and help to control 
the pace of fishing within the fishery.

Why select only one year, not two years, of participation?

    In conjunction with its determination that 2008 through 2015 was 
the appropriate qualifying period, the Council also determined that 
that qualifying period coupled with one year for participation would 
result in an adequate number of qualifying groundfish LLP licenses and 
CVs to prosecute the offshore fishery at a pace similar to the pace of 
the fishery through 2015. The Council considered two options addressing 
the frequency of qualifying landings in the BSAI TLAS yellowfin sole 
directed fishery during the qualifying period. One option would have 
required qualifying landings to be made in any two years during the 
qualifying period. The other option would require qualifying landings 
to be made in any one year during the qualifying period. The one year 
option would limit the number of CVs in the offshore BSAI TLAS 
yellowfin sole directed fishery to eight. While this option would allow 
two more CVs to participate than participated in 2015, it would still 
allow the fishery to be fully prosecuted without the risk of continued 
increase in harvest pressure that could continue to shorten the fishing 
season or increase Pacific halibut PSC rates. The Council did not 
choose the two-year requirement, because under both qualifying periods 
it would have substantially limited participation in a manner that is 
not reflective of the current harvest patterns in the fishery. 
Specifically, the two-year option would have limited the number of CVs 
in the offshore BSAI TLAS yellowfin sole directed fishery to three CVs 
owned by one company, which raised some concerns about its consistency 
with National Standard 4. Further, this option would have excluded at 
least one historic participant under both qualifying periods, which 
would not be consistent with the Council's intent to provide continued 
access and benefits to historic participants. In addition, a more 
restrictive option is not needed to promote conservation. The Council 
determined, and NMFS agrees, that requiring a qualifying landing in any 
one qualifying year during the qualifying period of 2008 through 2015 
effectively limits the potential for an increasingly challenging ``race 
for fish'' and the recent growth in the CV sector.

Why are no options needed for new CV entrants during periods of high 
BSAI TLAS yellowfin sole allocation?

    The Council considered a range of options that would have removed 
the requirements for CVs to have a BSAI TLAS yellowfin sole directed 
fishery endorsement to deliver to the offshore sector if the TAC 
allocated to the BSAI TLAS yellowfin sole fishery was above specific 
amounts (see Sections 2.7.2.2 and 2.7.2.3 of the Analysis). However, 
the Council concluded, and NMFS agrees, that options that would provide 
for new CV entrants during periods of high BSAI TLAS yellowfin sole 
allocations are not needed or appropriate. Sections 2.7.2.2 and 2.7.2.3 
of the Analysis note that CVs were able to enter the offshore BSAI TLAS 
yellowfin sole directed fishery from 2008 through 2015 under a wide 
range of TACs and market conditions, and those CVs that participated in 
the fishery during that time period would receive endorsements under 
this proposed rule.
    The Council also determined and NMFS agrees that relieving the 
limit to entry into the offshore BSAI TLAS yellowfin sole directed 
fishery by CVs could exacerbate the conditions that could lead to a 
``race for fish'' and could increase halibut PSC mortality rates in the 
fishery. Further, an option for new entrants could create difficulties 
during the annual TAC setting process, as eligible CVs and new CV 
entrants negotiate a BSAI yellowfin sole TAC recommendation to the 
Council each year. This would complicate the determination of whether 
there would be a directed fishery for new CV entrants each year. The 
Council also considered the potential for participation in the offshore 
BSAI TLAS yellowfin sole directed fishery by CVs currently active in 
the Gulf of Alaska, but without recent participation in the BSAI TLAS 
yellowfin sole fishery. However, the Council determined that it is not 
necessary to provide fishing opportunities for these CVs in the BSAI 
TLAS yellowfin sole fishery, because these CVs have extensive flatfish 
resources in the GOA that have remained unharvested. NMFS agrees with 
the Council's finding. Therefore, no such provision is included in this 
proposed action.

[[Page 26244]]

Why change the BSAI TLAS yellowfin sole policy as implemented under the 
Amendment 80 Program?

    As explained earlier, the Council and NMFS recognized at the time 
Amendment 80 was implemented that participation by Amendment 80 vessels 
as motherships in the offshore BSAI TLAS yellowfin sole directed 
fishery could continue or even increase. However, the proportion of the 
BSAI TLAS yellowfin sole directed fishery catch now being harvested by 
CVs that deliver their catch to Amendment 80 vessels operating as 
motherships is substantially greater than it was at the time the 
Amendment 80 Program was implemented. The final rule for the Amendment 
80 Program (72 FR 52668, September 14, 2007) notes that only 1 
Amendment 80 vessel was receiving and processing catch delivered from 
one CV in the BSAI Pacific cod fishery prior to the implementation of 
the Amendment 80 Program. No Amendment 80 vessel was receiving catch 
from CVs participating in the BSAI yellowfin sole fishery at the time 
the Amendment 80 Program was implemented in 2008. In 2017, 6 Amendment 
80 CPs and one AFA CP operated as motherships in the BSAI TLAS 
yellowfin sole fishery. However, from 2003 through 2014, no more than 
two CP vessels participated as motherships in the BSAI TLAS yellowfin 
sole fishery in any one year (Section 2.7.1.1 of the Analysis). Section 
2.7.1.1 of the Analysis notes that much of the increase in 
participation by CVs is due to an increase in the number of Amendment 
80 vessels operating as motherships.
    The Council determined, and NMFS agrees, that it is appropriate to 
review the policies adopted for the BSAI TLAS yellowfin sole directed 
fishery under the Amendment 80 Program and the fishing operations in 
that fishery, and take action, if necessary, as fishing patterns change 
from those observed at the time the Amendment 80 Program was 
implemented. As a result, the Council concluded, and NMFS agrees, it is 
necessary to limit access by CVs targeting BSAI TLAS yellowfin sole for 
delivery to vessels operating as motherships.

How would the proposed action limit potential adverse impacts in the 
BSAI TLAS Pacific cod fishery?

    The Council had information on, and heard public testimony about, 
the potential impacts of this proposed action on the BSAI TLAS Pacific 
cod fishery. As noted Section 2.7.2.1 of the Analysis, most of the CVs 
that participate in the BSAI TLAS yellowfin sole directed fishery also 
participate in the BSAI TLAS Pacific cod fishery, and a CV that would 
not receive a BSAI TLAS yellowfin sole directed fishery endorsement for 
its groundfish LLP license under this proposed rule may enter or 
increase its participation in the BSAI TLAS Pacific cod fishery. New or 
increased participation in the BSAI TLAS Pacific cod fishery would only 
occur if there is a perceived economic benefit to doing so. A spillover 
effect into the BSAI TLAS Pacific cod fishery may be more likely when 
there are fewer CVs that have an LLP license with an endorsement to 
participate in the BSAI TLAS yellowfin sole directed fishery. This 
proposed action would limit the number of groundfish LLP licenses, and 
therefore the number of CVs, that could be used to harvest BSAI TLAS 
yellowfin sole and deliver to a mothership, and any potential spillover 
effect into the BSAI TLAS Pacific cod fishery would most likely come 
from vessels that have participated in the BSAI TLAS yellowfin sole 
directed fishery, but would be excluded under this proposed rule. Under 
this proposed rule up to eight CVs could participate in the BSAI TLAS 
yellowfin sole directed fishery. The maximum number of CVs that 
participated in the fishery from 2008 through 2017 is eleven individual 
vessels, with a maximum of nine participating in any one year. The 
proposed rule would allow eight vessels to participate under groundfish 
LLP licenses endorsed for the fishery. While the remaining three 
vessels could increase BSAI TLAS Pacific cod fishery participation, 
they might also decline to participate in that fishery if there is no 
perceived economic benefit. At this time it is not possible to predict 
a definitive outcome.

Does this proposed action constitute a Limited Access Privilege (LAP) 
Program?

    The Council determined during its February 2017 meeting, and NMFS 
concurs, that this proposed action does not meet the definition of a 
LAP Program included in section 303A of the Magnuson-Stevens Act (16 
U.S.C. 1853a). Section 3 of the Magnuson-Stevens Act (16 U.S.C. 1802) 
defines a LAP as a Federal permit issued as part of a limited access 
system under section 303A to harvest a quantity of fish expressed by a 
unit or units representing a portion of the TAC of the fishery that may 
be received or held for exclusive use by a person and includes an 
individual fishing quota but does not include community development 
quotas.
    This proposed action would limit the number of groundfish LLP 
licenses and therefore the number of CVs that could be used to harvest 
BSAI TLAS yellowfin sole and deliver that harvest to a mothership, but 
it would not assign a portion of the BSAI TLAS yellowfin sole TAC for 
exclusive use by a person. An individual owner of a groundfish LLP 
license that would receive an endorsement would not be allocated a 
specific amount of BSAI TLAS yellowfin sole that would be for the 
owner's exclusive use. All vessels eligible to participate in the 
offshore BSAI TLAS yellowfin sole directed fishery, both CPs and CVs 
designated on groundfish LLP licenses with the proposed endorsement, 
would continue to compete with each other in harvesting the BSAI TLAS 
yellowfin sole TAC and do not act together as one entity. Additionally, 
although CVs have not historically delivered their catch of yellowfin 
sole to shore-based processing plants, this proposed action does not 
preclude CVs from conducting directed fishing for BSAI TLAS yellowfin 
sole and delivering that harvest to shore-based processing plants. This 
proposed action does not limit the amount of BSAI TLAS yellowfin sole 
that could be harvested by a CV designated on a groundfish LLP license 
that has a BSAI TLAS yellowfin sole endorsement; rather, it limits the 
number of CVs that are eligible to participate in the directed fishery 
and deliver their harvest to a mothership. This proposed action does 
not limit CPs participating in the BSAI TLAS yellowfin sole fishery or 
assign a portion of the TAC for exclusive use by CPs. Finally, NMFS 
will maintain the ability to reallocate BSAI TLAS yellowfin sole TAC to 
the Amendment 80 sector if NMFS determines that it will go unharvested.

How will this action help reduce halibut PSC?

    In fisheries where circumstances motivate fishermen to race against 
each other to harvest as much fish as they can before the annual catch 
limit or the PSC limit is reached and the fishery closes for the 
season, participants can have a substantial disincentive to take 
actions to reduce bycatch use and waste, particularly if those actions 
could reduce groundfish catch rates. In a ``race for fish,'' 
participants who choose not to take actions to reduce bycatch and waste 
stand to gain additional groundfish catch by continuing to harvest at a 
higher bycatch rate, at the expense of any vessels engaged in bycatch 
avoidance. By limiting CV access to the offshore BSAI TLAS yellowfin 
sole fishery and reducing

[[Page 26245]]

pressure to harvest the BSAI TLAS yellowfin sole TAC quickly, this 
proposed action would help to reduce incentives for a ``race for fish'' 
and provide participating CVs more flexibility in fishing operations, 
allowing them to better avoid halibut PSC.
    Additionally, industry participants have testified to the Council 
that some companies participating in the BSAI TLAS yellowfin sole 
directed fishery reduce halibut mortality in the fishery through 
implementing ``best practices'' agreements designed to reduce halibut 
mortality. Such testimony indicated that these agreements have included 
halibut mortality target rates, real-time reporting of locations with 
high halibut PSC, or informal apportionment of remaining halibut 
mortality among vessels fishing late in the year. Limiting the number 
of CVs in this fishery may provide a better opportunity to implement 
best practices agreements, because participation in the fishery would 
be more stable and predictable over the long term. That stability and 
predictability could facilitate better communication among 
participants. Section 2.7.1.2 of the Analysis provides additional 
detail on halibut PSC management practices in the BSAI TLAS yellowfin 
sole fishery.
    Section 3.2.2.1 of the Analysis concluded that this proposed rule 
would not affect annual halibut PSC limits, but does have the potential 
to help participants maintain or reduce halibut PSC in the BSAI TLAS 
yellowfin sole fishery, as described above. While such savings are not 
guaranteed or predictable due to the suite of variables that can affect 
halibut PSC and rates in this fishery, the proposed action addresses 
concerns that increasing entry could make halibut PSC increase, is 
expected to maintain halibut PSC at current levels, and may even create 
a management environment in which the participants are able to work 
together to reduce halibut PSC. Additionally, the Council and NMFS do 
not expect any negative effects on halibut from this proposed rule 
because halibut PSC limits for this fishery would continue to be 
established each year, and the fishery would be closed if NMFS 
determines that the halibut PSC limit will be reached before the 
yellowfin sole TAC is reached.

Proposed Action

    This proposed rule would implement Amendment 116 to the BSAI FMP. 
This proposed rule would establish eligibility criteria for, and a 
process to issue, a new endorsement to groundfish LLP licenses that 
would authorize vessels designated on those licenses and operating in 
the BSAI TLAS yellowfin sole directed fishery to deliver BSAI TLAS 
yellowfin sole catch to a mothership. Regulations at Sec.  679.2 define 
a mothership as a vessel that receives and processes groundfish from 
other vessels. Under this proposed rule, any vessel that meets the 
mothership definition at Sec.  679.2 or has a mothership designation on 
its Federal Fishery Permit, including CPs and stationary floating 
processors, will be considered a mothership for this action. For 
purposes of simplicity, this preamble uses the term ``BSAI TLAS 
yellowfin sole directed fishery endorsement'' to mean an endorsement on 
a groundfish LLP license that would allow the vessel designated on that 
LLP license to deliver its catch of BSAI TLAS yellowfin sole to a 
mothership for processing.
    Under this proposed action, NMFS would issue a BSAI TLAS yellowfin 
sole directed fishery endorsement to a groundfish LLP license with a 
Bering Sea trawl endorsement if: (1) The groundfish LLP license is 
credited with at least one legal trip target landing in the BSAI TLAS 
yellowfin sole directed fishery, and (2) the credited legal trip target 
landing was to a mothership in any one year of the qualifying period 
from 2008 through 2015. If a vessel that made at least one trip target 
landing in the BSAI TLAS directed fishery during the qualifying period 
was designated on more than one groundfish LLP license during the 
qualifying period, the vessel owner would be required to select one 
groundfish LLP license to receive credit with the qualifying landings 
made by that vessel during the qualifying period.
    Where a vessel that made at least one trip target landing in the 
BSAI TLAS directed fishery from 2008 through 2015 was designated on 
more than one groundfish LLP license during the qualifying period, all 
groundfish LLP licenses on which the vessel was designated when it was 
used to make a trip target landing in a BSAI TLAS fishery during the 
qualifying period would be eligible to receive credit with the 
qualifying landings made by the vessel. However, none of these 
groundfish LLP licenses would be credited with a qualifying landing and 
receive an endorsement from NMFS until the vessel owner notifies NMFS 
and identifies which single groundfish LLP license is to be credited 
with the qualifying landing(s).
    Based on the information provided in the Analysis and the official 
record, NMFS has determined that ten groundfish LLP licenses would be 
eligible to be credited with qualifying landing(s) and receive a BSAI 
TLAS yellowfin sole directed fishery endorsement. Two were the sole 
groundfish LLP license on which a vessel that made a qualifying landing 
during the qualifying period was designated. Therefore, under this 
proposed rule, those two groundfish LLP licenses would be credited with 
a qualifying landing and receive a BSAI TLAS directed fishery 
endorsement. The remaining eight eligible groundfish LLP licenses were 
each one of two groundfish LLP licenses designated on a vessel that 
made qualifying landings during the qualifying period; therefore, those 
eight groundfish LLP licenses would be eligible to be credited with a 
qualifying landing and receive an endorsement. For any of those eight 
groundfish LLP licenses to be credited with a qualifying landing and 
receive an endorsement, the vessel owner would be required to select 
one groundfish LLP license that NMFS is to credit with all qualifying 
landings made by that vessel. Up to six of those eight groundfish LLP 
licenses could be credited with a qualifying landing and receive an 
endorsement from NMFS. Therefore, NMFS anticipates that a total of 
eight groundfish LLP licenses could receive a BSAI TLAS yellowfin sole 
directed fishery endorsement under the proposed rule, resulting in up 
to eight vessels that could participate in the BSAI TLAS yellowfin sole 
directed fishery and deliver their catch to a mothership.
    This provision would ensure that in cases where a vessel was 
designated on more than one groundfish LLP license during the 
qualifying period when one or more qualifying BSAI TLAS trip target 
landings were made, only one of those groundfish LLP licenses would be 
credited with the qualifying landing(s). Because NMFS does not require 
vessel owners and operators to specify how specific landings should be 
credited to multiple groundfish LLP licenses on which the same vessel 
was designated, this provision would resolve any disputes that may 
arise about the assignment of specific landings by having the vessel 
owner identify one groundfish LLP license to credit with the qualifying 
landing(s).
    Any vessel designated on a groundfish LLP license with a BSAI TLAS 
yellowfin sole directed fishery endorsement would be authorized to 
deliver catch of BSAI TLAS yellowfin sole in the directed fishery to a 
mothership. This proposed rule would not preclude a vessel with a BSAI 
TLAS yellowfin sole directed fishery endorsement from delivering catch 
of yellowfin sole that is harvested in the BSAI TLAS yellowfin sole 
directed fishery to a shore-based processing plant. This proposed rule 
also would

[[Page 26246]]

not preclude a vessel without a BSAI TLAS yellowfin sole directed 
fishery endorsement from delivering incidental catch of yellowfin sole 
that is caught while participating in other directed fisheries to a 
mothership for processing. For example, a vessel without a BSAI 
yellowfin sole directed fishery endorsement could participate in the 
BSAI TLAS Pacific cod directed fishery and deliver its directed catch 
of Pacific cod with its incidental catch of BSAI TLAS yellowfin sole to 
a mothership, provided that the vessel has met all applicable 
requirements to participate in the BSAI TLAS Pacific cod directed 
fishery and the incidental catch of BSAI TLAS yellowfin sole is at or 
under the maximum retainable amount (MRA) for yellowfin sole. Finally, 
this proposed action would not preclude a vessel from participating as 
a CP and processing its own catch in the BSAI TLAS yellowfin sole 
directed fishery. Under this proposed rule a vessel that does not have 
a BSAI Trawl Limited Access Sector yellowfin sole directed fishery 
endorsement would be prohibited from delivering yellowfin sole 
harvested with trawl gear in the BSAI Trawl Limited Access Sector 
yellowfin sole directed fishery to a mothership, as defined at Sec.  
679.2. The following sections of this preamble describe how NMFS 
proposes to determine a trip target landing, credit qualifying landings 
to a groundfish LLP license, and issue BSAI TLAS yellowfin sole 
directed fishery endorsements.

Determining and Crediting Trip Target Landings

    NMFS can determine which and how many landings, where landing means 
offloading fish (50 CFR 679.2), were made by a vessel designated on a 
specific groundfish LLP license during a particular timeframe. 
Regulations at 50 CFR 679.4(k) require an LLP license holder to 
designate a specific vessel on which the license will be used. This 
requirement allows NMFS to credit landings to a specific LLP license. 
NMFS also collects vessel landings data, which includes information on 
the species and amounts landed. From these data, NMFS has created an 
official record with all relevant information necessary to determine 
legal trip target landings that can be credited to BSAI groundfish LLP 
licenses.
    The official record created by NMFS contains vessel landings data 
and the groundfish LLP licenses to which those landings are credited. 
Evidence of the number and amount of trip target landings of BSAI TLAS 
yellowfin sole is based on legally submitted NMFS weekly production 
reports for CPs and State of Alaska fish tickets for CVs. Historically, 
NMFS has used only these two data sources to determine the specific 
amount and location of landings, and NMFS proposes to continue to do so 
under this action. The official record includes the records of specific 
groundfish LLP licenses, including vessels designated on them, and 
other relevant information necessary to credit landings to specific 
groundfish LLP licenses. NMFS presumes the official record is correct, 
and a person wishing to challenge the presumptions in the official 
record would bear the burden of proof through an evidentiary and 
appeals process.
    In order for a groundfish LLP license to receive a BSAI TLAS 
yellowfin sole directed fishery endorsement and be authorized to 
conduct directed fishing for BSAI TLAS yellowfin sole and deliver that 
catch to a mothership, NMFS would first have to determine that the 
groundfish LLP license is an eligible license and then would have to 
determine that the eligible license can be credited with one or more 
qualifying landings. Under this proposed rule, NMFS would identify as 
eligible those groundfish LLP licenses with a Bering Sea trawl 
endorsement and those vessels using trawl gear operating under the 
authority of that groundfish LLP license when (1) the vessel was used 
to make a trip target landing in the BSAI TLAS yellowfin sole directed 
fishery during any year from 2008 through 2015 and (2) the catch from 
that trip target landing of BSAI TLAS yellowfin sole was delivered to a 
mothership for processing.
    Based on the official record, NMFS has identified ten groundfish 
LLP licenses that would be eligible to be credited with qualifying 
landings. Two of these eligible groundfish LLP licenses were the sole 
groundfish LLP license on which a given vessel was designated at the 
time the vessel made qualifying landings of BSAI TLAS yellowfin sole. 
Therefore, NMFS would credit these two groundfish LLP licenses with the 
qualifying landings under this proposed rule. NMFS proposes to list 
these two groundfish LLP licenses in Table 52 to part 679. The 
remaining eight eligible groundfish LLP licenses were not the sole 
groundfish LLP license on which a given vessel was designated at the 
time the vessel made at least one trip target in the BSAI TLAS fishery 
during the qualifying period. Because this proposed rule would require 
in such cases that the vessel owner specify one groundfish LLP license 
to receive credit with the qualified landing(s) made by that vessel, 
NMFS would not be able to credit these groundfish LLP licenses until 
NMFS receives notification from the vessel owner which groundfish LLP 
license should be credited with the qualifying landing(s). NMFS 
proposes to list in Table 53 to part 679 the eight groundfish LLP 
licenses that would be eligible for, but would not be credited with, 
qualifying landings until notification from the vessel owner is 
received by NMFS. The proposed notification process is described in the 
following section.
    The groundfish LLP licenses identified in proposed Tables 52 and 53 
to 50 CFR part 679 represent the groundfish LLP licenses that NMFS has 
determined would be eligible for an endorsement at this time. 
Additional groundfish LLP licenses may qualify for an endorsement 
through the proposed administrative adjudicative process described 
below. NMFS is proposing to list the groundfish LLP licenses it has 
determined are eligible to receive the BSAI TLAS yellowfin sole 
directed fishery endorsement to help facilitate the ability of the 
public to review their catch records and determine if additional 
groundfish LLP licenses may be eligible to receive the endorsement. 
NMFS specifically requests public comment on the groundfish LLP 
licenses listed in proposed Tables 52 and 53 to part 679.
    If a holder of a groundfish LLP license believes the groundfish LLP 
license would meet the eligibility criteria, but the license is not 
listed in proposed Tables 52 or 53 to part 679, or if a license holder 
disagrees with the groundfish LLP license to which NMFS would assign 
the BSAI TLAS yellowfin sole directed fishery endorsement, the holder 
would have the opportunity to challenge NMFS' determination as 
described in the following section of the preamble.

Proposed Process for Issuing BSAI TLAS Yellowfin Sole Directed Fishery 
Endorsements

    NMFS has determined the groundfish LLP licenses identified in 
proposed Table 52 can be credited with qualifying landings based on the 
official record and would receive a BSAI TLAS yellowfin sole 
endorsement under Amendment 116 and this proposed rule. If Amendment 
116 is approved and this proposed rule is finalized, NMFS would issue a 
notification of eligibility and a revised groundfish LLP license with a 
BSAI TLAS yellowfin sole directed fishery endorsement to the holders of 
the groundfish LLP licenses identified in proposed Table 52, using the 
address on record at the time the notification is sent.
    NMFS has determined the groundfish LLP licenses identified in 
proposed

[[Page 26247]]

Table 53 are eligible to be credited with qualifying landings based on 
the official record. However, the vessels that made qualifying landings 
while designated on these groundfish LLP licenses were designated on 
more than one groundfish LLP license during the qualifying period. 
Therefore, none of the groundfish LLP licenses in proposed Table 53 can 
be credited with qualifying landings until the owner of the vessel 
designated on those groundfish LLP licenses identifies which groundfish 
LLP license is to be credited with the qualifying landings. Under this 
proposed rule, NMFS would mail the vessel owner a notification of 
eligibility for those groundfish LLP licenses, using the address on 
record at the time the notification is sent. The notice would ask the 
vessel owner to submit to NMFS a written request to credit the 
qualifying landings, in accordance with proposed regulations at Sec.  
679.4(k)(14)(v)(F), to one groundfish LLP license selected by the 
vessel owner from the list of eligible groundfish LLP licenses provided 
by NMFS in the notice. NMFS would also send a notification of 
eligibility to the holders of each of those groundfish LLP licenses 
identified in proposed Table 53 using the address on record at the time 
the notification is sent. NMFS would issue a revised groundfish LLP 
license with a BSAI TLAS yellowfin sole directed fishery endorsement to 
the holder of the groundfish LLP license selected by the vessel owner 
in the written request to NMFS. NMFS would also send a notification to 
the holder of the groundfish LLP license not selected by the vessel 
owner to be credited with qualifying landings, using the address on 
record at the time the notification is sent, informing the holder that 
the groundfish LLP license was not credited with a qualifying landing 
and would not receive a BSAI TLAS yellowfin sole endorsement. NMFS 
would provide a single, 30-day evidentiary period from the date that 
notification is sent for a groundfish LLP license holder to submit any 
information or evidence to demonstrate that the information contained 
in the official record is inconsistent with the holder's records.
    For all those groundfish LLP licenses with a Bering Sea trawl 
designation, but not listed in either proposed Table 52 or 53, NMFS 
would notify the holders that the groundfish LLP license is not 
eligible for a BSAI TLAS yellowfin sole directed fishery endorsement 
based on the official record, using the address on record at the time 
the notification is sent. NMFS would provide the holder with an 
opportunity to submit information to NMFS to rebut the official record. 
NMFS would provide a single, 30-day evidentiary period from the date 
that notification is sent for a groundfish LLP license holder to submit 
any information or evidence to demonstrate that the information 
contained in the official record is inconsistent with the holder's 
records.
    Under this proposed rule, a groundfish LLP license holder who 
submits claims that are inconsistent with information in the official 
record would have the burden of proving that the submitted claims are 
correct. NMFS would not accept claims that are inconsistent with the 
official record, unless they are supported by clear, written 
documentation. NMFS would evaluate all additional information or 
evidence submitted within the 30-day evidentiary period. If NMFS 
determines that the additional information or evidence proves that the 
groundfish LLP license holder's claims are correct, NMFS would amend 
the official record in accordance with that information or evidence. 
However, if, after the 30-day evidentiary period, NMFS determines that 
the additional information or evidence does not prove that the 
groundfish LLP license holder's claims were correct, NMFS would deny 
the claim. NMFS would notify the applicant that the additional 
information or evidence did not meet the burden of proof to overcome 
the official record through an initial administrative determination 
(IAD).
    NMFS' IAD would indicate the deficiencies and discrepancies in the 
information or evidence submitted in support of the claim. NMFS' IAD 
would indicate which claims could not be approved based on the 
available information or evidence, and provide information on how an 
applicant could appeal an IAD. The former procedure for appealing an 
IAD to the NMFS' Alaska Office of Administrative Appeals was described 
at Sec.  679.43. However, NMFS has centralized the appeals process in 
the National Appeals Office, which operates out of NMFS' headquarters 
in Silver Spring, MD. The National Appeals Office is now charged with 
processing appeals that were filed with the Office of Administrative 
Appeals, Alaska Region. The procedure for appealing an IAD through the 
National Appeals Office is at 15 CFR part 906 (79 FR 7056, February 6, 
2014). During the pendency of an administrative adjudication leading to 
a final agency action, NMFS would issue an interim (temporary, non-
transferable) license to an applicant who was authorized to participate 
in the fishery in the year before the IAD is issued and who makes a 
credible claim to eligibility for a BSAI TLAS yellowfin sole fishery 
endorsement. An applicant who was issued a license the previous year 
would be eligible for a non-transferable interim license pending the 
resolution of his or her claim pursuant to the license renewal 
provisions of 5 U.S.C. 558. The non-transferable, interim license would 
authorize the applicant to deliver BSAI TLAS yellowfin sole to a 
mothership for processing and would be effective until final agency 
action on the appeal. At that time, the person who appealed would 
receive either a transferable license with the endorsement or a 
transferrable license without the endorsement, depending on the final 
agency action.
    The following provides a brief summary of the regulatory changes 
that would be made by this proposed rule.
    This proposed rule would add Sec.  679.4(k)(14) to include the 
provisions that are necessary to qualify for, and receive, a BSAI TLAS 
yellowfin sole directed fishery endorsement.
    This proposed rule would add Sec.  679.7(i)(11) to prohibit the 
delivery of yellowfin sole harvested with trawl gear in the BSAI TLAS 
directed fishery to a mothership without a copy of a valid LLP with a 
BSAI TLAS yellowfin sole directed fishery endorsement except as 
provided in Sec.  679.4(k)(2). Section 679.4(k)(2) lists the specific 
conditions under which vessels are not required to be designated on LLP 
licenses to harvest groundfish. None of the vessels currently exempted 
from the requirements to be designated on an LLP license under Sec.  
679.4(k)(2) participate in the BSAI TLAS yellowfin sole directed 
fishery.
    This proposed rule would add Table 52 to part 679 to list those 
groundfish LLP licenses that NMFS has determined would be eligible, 
would be credited with qualifying landings, and would receive a BSAI 
TLAS yellowfin sole directed fishery endorsement under this proposed 
rule.
    This proposed rule would also add Table 53 to part 679. Table 53 
would list those pairs of groundfish LLP licenses that NMFS has 
determined would be eligible to be credited with qualifying landings, 
such that each pair was designated on the same vessel that made the 
qualifying landings. Because only one groundfish LLP license could be 
credited with the qualifying landings, the owner of the vessel 
designated on the pair of groundfish LLP licenses would notify NMFS 
which one groundfish LLP license of the pair should be credited with 
the qualifying landings. Upon receipt of the written notification from 
the vessel owner, NMFS would credit the qualifying

[[Page 26248]]

landings to the one groundfish LLP license of the pair selected by the 
vessel owner and issue it a BSAI TLAS yellowfin sole directed fishery 
endorsement.

Classification

    Pursuant to sections 304(b) and 305(d) of the Magnuson-Stevens Act, 
the NMFS Assistant Administrator has determined that this proposed rule 
is consistent with Amendment 116, the BSAI FMP, other provisions of the 
Magnuson-Stevens Act, and other applicable law, subject to further 
consideration of comments received during the public comment period.
    This proposed rule has been determined to be not significant for 
the purposes of Executive Order 12866.

Regulatory Impact Review (RIR)

    An RIR was prepared to assess all costs and benefits of available 
regulatory alternatives. A copy of this analysis is available from NMFS 
(see ADDRESSES). The Council recommended Amendment 116 based on those 
measures that maximized net benefits to the Nation. Specific aspects of 
the economic analysis are discussed below in the Initial Regulatory 
Flexibility Analysis section.

Initial Regulatory Flexibility Analysis (IRFA)

    This IRFA was prepared for this proposed rule, as required by 
section 603 of the Regulatory Flexibility Act (RFA), to describe why 
this action is being proposed; the objectives and legal basis for the 
proposed rule; the number of small entities to which the proposed rule 
would apply; any projected reporting and recordkeeping requirements of 
the proposed rule; any overlapping, duplicative, or conflicting Federal 
rules; and any significant alternatives to the proposed rule that would 
accomplish the stated objectives, consistent with applicable statutes, 
and that would minimize any significant adverse economic impacts of the 
proposed rule on small entities. Descriptions of the proposed action, 
its purpose, and the legal basis are contained earlier in this preamble 
and are not repeated here.
Number and Description of Small Entities Regulated by This Proposed 
Action
    The directly regulated entities under this proposed rule are (1) 
holders of groundfish LLP licenses that authorize a vessel designated 
on the LLP license to harvest groundfish using trawl gear in the Bering 
Sea and (2) vessel owners that must choose one of two LLP licenses on 
which the vessel was designated during the qualifying period. Based on 
the best available and most recent complete data from 2008 through 
2017, 163 groundfish LLP license holders and five vessel owners would 
be directly regulated by this proposed action.
    For RFA purposes only, NMFS has established a small business size 
standard for businesses, including their affiliates, whose primary 
industry is commercial fishing (see 50 CFR 200.2). A business primarily 
engaged in commercial fishing (NAICS code 11411) is classified as a 
small business if it is independently owned and operated, is not 
dominant in its field of operation (including its affiliates), and has 
combined annual receipts not in excess of $11 million for all its 
affiliated operations worldwide.
    The RFA requires consideration of affiliations between entities for 
the purpose of assessing whether an entity is classified as small. The 
AFA pollock and Amendment 80 cooperatives are types of affiliation 
between entities. All of the AFA and Amendment 80 cooperatives have 
gross annual revenues that are substantially greater than $11 million. 
Therefore, NMFS considers members in these cooperatives ``affiliated'' 
large (non-small) entities for RFA purposes.
    Of the 163 groundfish LLP license holders directly regulated by the 
proposed action, 128 were members of an AFA cooperative and 26 were 
members of an Amendment 80 cooperative in 2017. Therefore, NMFS 
considers those 154 groundfish LLP license holders to be ``affiliated'' 
large (non-small) entities for RFA purposes. All of the groundfish LLP 
licenses with designated vessels that participated in the BSAI TLAS 
yellowfin sole directed fishery and delivered catch to a mothership 
from 2008 through 2017 were affiliated with either an AFA or an 
Amendment 80 cooperative in 2017. NMFS therefore considers these LLP 
license holders to be ``affiliated'' large (non-small) entities for RFA 
purposes. The remaining nine groundfish LLP license holders are not 
affiliated with AFA or Amendment 80 cooperatives and are assumed to be 
small entities directly regulated by this action for purposes of the 
RFA. All five vessel owners who are considered regulated entities under 
this proposed rule were affiliated with either an AFA pollock or an 
Amendment 80 cooperative in 2017. Therefore, NMFS considers them 
``affiliated'' large (non-small) entities for RFA purposes. This IRFA 
assumes that each vessel owner and each groundfish LLP license holder 
is a unique entity; therefore, the total number of directly regulated 
entities may be an overestimate because some vessel owners and 
groundfish LLP license holders are likely affiliated through common 
ownership. These potential affiliations are not known with the best 
available data and cannot be predicted.
Impacts of This Action on Small Entities
    Under this proposed rule, access to the BSAI TLAS yellowfin sole 
directed fishery by vessels that deliver their BSAI TLAS yellowfin sole 
directed fishery catch to a mothership for processing would be limited 
to only those vessels designated on a groundfish LLP license with a 
BSAI TLAS yellowfin sole directed fishery endorsement. However, no 
small entities would qualify to hold a groundfish LLP license with such 
an endorsement. None of the nine LLP license holders who are considered 
small entities regulated under this proposed rule are expected to be 
adversely impacted by this proposed rule. Based on a review of fishery 
data from 2008 through 2017, none of those nine groundfish LLP licenses 
had designated on it a vessel that delivered BSAI TLAS yellowfin sole 
directed fishery catch to a mothership for processing. This proposed 
rule would not limit existing delivery patterns by vessels designated 
on those nine LLP licenses. This proposed rule would limit the future 
opportunity for the holders of these nine LLP licenses to deliver BSAI 
TLAS yellowfin sole directed fishery catch to a mothership for 
processing. The lack of any quantitative data on potential future 
delivery patterns makes it impossible to rigorously assess the expected 
economic impact of limiting these nine LLP license holders from future 
deliveries of BSAI TLAS yellowfin sole directed fishery catch to a 
mothership for processing.
Description of Significant Alternatives Considered
    The RFA requires identification of any significant alternatives to 
the proposed rule that accomplish the stated objectives of the proposed 
action, consistent with applicable statutes, and that would minimize 
any significant economic impact of the proposed rule on small entities. 
The Council considered a status quo alternative and one action 
alternative with several options and suboptions. The combination of 
options and suboptions under the action alternative provided a 
reasonable range of potential alternative approaches to status quo 
management.
    Under the status quo, there would be a risk of continued increasing 
harvest

[[Page 26249]]

effort resulting in shorter fishing seasons and higher halibut PSC 
rates. The action alternative would accomplish the stated objectives of 
prioritizing a portion of the BSAI TLAS yellowfin sole TAC for harvest 
by historic participants that deliver their catch to motherships for 
processing and maintaining a steady fishing pace and season duration, 
while minimizing adverse economic impacts on small entities and the 
potential for increasing harvest effort that shortens fishing seasons 
and increases Pacific halibut PSC rates. The action alternative does 
not affect any sector's BSAI TLAS yellowfin sole allocation or the BSAI 
TLAS yellowfin sole TAC.
    The Council considered a range of dates, varying levels of 
participation, and a suite of mechanisms to provide greater harvesting 
and processing opportunities for CVs to deliver to offshore processors 
during periods of high BSAI yellowfin sole TAC. The Council recommended 
the proposed combination of dates and participation level to relieve 
the recent increase in harvest pressure and rate and give historic 
fishery participants sufficient opportunity to harvest and deliver BSAI 
TLAS yellowfin sole to motherships without increasing the risk of 
shorter fishing seasons and higher Pacific halibut PSC rates.
    The Council and NMFS considered two alternatives. Alternative 1, 
the no action alternative, would not limit access by catcher vessels to 
the offshore BSAI TLAS yellowfin sole directed fishery. Alternative 2 
would limit access by CVs to the offshore BSAI TLAS yellowfin sole 
directed fishery.
    Under Alternative 2, two options with four and eight suboptions, 
respectively, were considered. The suboptions under Option 1 would 
limit access to the fishery to CVs with qualifying deliveries to a 
mothership from 2008 through 2015 in either any one or any two years or 
from 2008 through 2016 in either any one or any two years. Suboptions 
under Option 2.1 would allow all CVs with BSAI trawl endorsements 
access to the fishery when the TAC assigned to the BSAI TLAS is equal 
to or greater than an amount in a range of suboptions from 15,000 mt 
through 30,000 mt. Suboptions under Option 2.2 would limit access to 
the fishery by CVs that do not meet landings qualifications under 
Option 1 to a portion of the BSAI TLAS yellowfin sole TAC equal to or 
greater than an amount in a range of suboptions from 15,000 mt through 
30,000 mt. The combination of options and suboptions under Alternative 
2 provided the Council and NMFS with a broad range of alternative 
policy considerations relative to the no action alternative 
(Alternative 1). The proposed rule incorporates the preferred option 
and suboption under Alternative 2 which would limit access to the 
fishery to CVs with qualifying deliveries to a mothership from 2008 
through 2015 in any one year, because that combination would best 
prevent increased catcher vessel participation from reducing the 
benefits the fishery provides to historic and recent participants, 
mitigate the risk that a ``race for fish'' could develop, and help to 
maintain the consistently low rates of halibut bycatch in the BSAI TLAS 
yellowfin sole directed fishery.
Federal Rules That May Duplicate, Overlapping, or Conflict With the 
Proposed Action
    No duplication, overlap, or conflict between this proposed action 
and existing Federal rules has been identified.
Projected Recordkeeping and Reporting Requirements
    This proposed rule does not add additional reporting or 
recordkeeping requirements for the vessels that choose to submit an 
appeal. An appeal process exists for LLP license endorsement issuance. 
No small entity is subject to reporting requirements that are in 
addition to or different from the requirements that apply to all 
directly regulated entities. No unique professional skills are needed 
for the LLP license or vessel owners or operators to comply with the 
reporting and recordkeeping requirements associated with this proposed 
rule. This proposed rule would not implement or increase any fees that 
NMFS collects from directly regulated entities. The Analysis prepared 
for this action identifies no operational costs of the endorsement (see 
ADDRESSES).

Collection-of-Information Requirements

    This proposed rule contains collection-of-information requirements 
subject to review and approval by the Office of Management and Budget 
(OMB) under the Paperwork Reduction Act. These requirements have been 
submitted to OMB for approval under a temporary new information 
collection, to be merged after approval with OMB Control Number 0648-
0334. The public reporting burden for the collection-of-information 
requirements in this proposed rule is estimated to average two hours 
per response for a one-time Election to Assign Qualifying Landings to 
an LLP license and 4 hours per response to submit an appeal, which 
includes the time for reviewing instructions, searching existing data 
sources, gathering and maintaining the data needed, and completing and 
reviewing the collection of information.
    Public comment is sought regarding (1) whether this proposed 
collection of information is necessary for the proper performance of 
the functions of the agency, including whether the information shall 
have practical utility; (2) the accuracy of the burden estimate; (3) 
ways to enhance the quality, utility, and clarity of the information to 
be collected; and (4) ways to minimize the burden of the collection of 
information, including through the use of automated collection 
techniques or other forms of information technology. Send comments on 
these or any other aspects of the collection of information to NMFS 
Alaska Region at the ADDRESSES above, and by email to 
[email protected] or fax to (202) 395-5806.
    Notwithstanding any other provision of law, no person is required 
to respond to, and no person shall be subject to penalty for failure to 
comply with, a collection of information subject to the requirements of 
the PRA, unless that collection of information displays a currently 
valid OMB control number. All currently approved NOAA collections of 
information may be viewed at http://www.cio.noaa.gov/services_programs/prasubs.html.

List of Subjects in 50 CFR Part 679

    Alaska, Fisheries, Reporting and recordkeeping requirements.

    Dated: May 31, 2018.
Samuel D. Rauch, III,
Deputy Assistant Administrator for Regulatory Programs, National Marine 
Fisheries Service.
    For reasons set out in the preamble, 50 CFR part 679 is proposed to 
be amended as follows:

PART 679--FISHERIES OF THE EXCLUSIVE ECONOMIC ZONE OFF ALASKA

0
1. The authority citation for part 679 continues to read as follows:

    Authority: 16 U.S.C. 773 et seq.; 1801 et seq.; 3631 et seq.; 
Pub. L. 108-447; Pub. L. 111-281.

0
2. In Sec.  679.4, add paragraph (k)(14) to read as follows:


Sec.  679.4   Permits.

* * * * *
    (k) * * *
    (14) Yellowfin sole trawl limited access sector (TLAS) directed 
fishery endorsement in the BSAI--(i) General. In addition to other 
requirements of this part, and unless specifically exempted in 
paragraph (k)(2) of this section, a

[[Page 26250]]

vessel must be designated on a groundfish LLP license that has a BSAI 
TLAS yellowfin sole directed fishery endorsement in order to conduct 
directed fishing for yellowfin sole with trawl gear in the BSAI Trawl 
Limited Access Sector fishery and deliver the catch to a mothership as 
defined at Sec.  679.2. A vessel designated on a groundfish LLP license 
with trawl and catcher/processor vessel designations and a BSAI TLAS 
yellowfin sole directed fishery endorsement may operate as a catcher 
vessel and deliver its catch of yellowfin sole harvested in the 
directed BSAI TLAS fishery to a mothership, or operate as a catcher/
processor and catch and process its own catch in this fishery.
    (ii) Eligibility requirements for a BSAI TLAS yellowfin sole 
directed fishery endorsement.
    (A) A groundfish LLP license is eligible to receive a BSAI TLAS 
yellowfin sole directed fishery endorsement if the groundfish LLP 
license:
    (1) Had a vessel designated on it, in any year from 2008 through 
2015, that made at least one legal trip target landing of yellowfin 
sole in the BSAI TLAS directed fishery to a mothership as defined at 
Sec.  679.2 in any one year from 2008 through 2015, inclusive, where a 
trip target is the groundfish species for which the retained amount of 
that groundfish species is greater than the retained amount of any 
other groundfish species for that trip;
    (2) Has a Bering Sea area endorsement and a trawl gear designation; 
and
    (3) Is credited by NMFS with a legal trip target landing specified 
in paragraph (k)(14)(ii)(A)(1) of this section.
    (B) If a vessel specified in paragraph (k)(14)(ii)(A)(1) of this 
section was designated on more than one groundfish LLP license from 
2008 through 2015 and made at least one legal trip target landing in a 
BSAI TLAS directed fishery from 2008 through 2015, the vessel owner 
must specify to NMFS only one of those groundfish LLP licenses to 
receive credit with the legal trip target landing(s) specified in 
paragraph (k)(14)(ii)(A)(1) of this section.
    (iii) Explanations for BSAI TLAS yellowfin sole directed fishery 
endorsement.
    (A) NMFS will determine whether a groundfish LLP license is 
eligible to receive a BSAI TLAS yellowfin sole directed fishery 
endorsement under paragraph (k)(14)(ii) of this section based only on 
information contained in the official record described in paragraph 
(k)(14)(v) of this section.
    (B) NMFS will credit a groundfish LLP license with a legal trip 
target landing specified in paragraph (k)(14)(ii)(A)(1) of this section 
if that groundfish LLP license was the only groundfish LLP license on 
which the vessel was designated from 2008 through 2015. If a vessel 
that made at least one legal trip target landing specified in paragraph 
(k)(14)(ii)(A)(1) of this section was designated on more than one 
groundfish LLP license from 2008 through 2015 and made at least one 
legal trip target landing in a BSAI TLAS directed fishery from 2008 
through 2015, the vessel owner must notify NMFS which one of those 
groundfish LLP licenses NMFS is to credit with the legal trip target 
landing(s) specified in paragraph (k)(14)(ii)(A)(1) of this section.
    (C) Trip target landings will be determined based on round weight 
equivalents.
    (iv) Exemptions to BSAI TLAS yellowfin sole endorsements. Any 
vessel exempted from the License Limitation Program at paragraph (k)(2) 
of this section is exempted from the requirement to have a BSAI TLAS 
yellowfin sole endorsement to deliver catch of BSAI TLAS yellowfin sole 
to a mothership for processing.
    (v) BSAI TLAS yellowfin sole participation official record.
    (A) The official record will contain all information used by the 
Regional Administrator that is necessary to administer the requirements 
described in paragraph (k)(14) of this section.
    (B) The official record is presumed to be correct. A groundfish LLP 
license holder has the burden to prove otherwise.
    (C) Only legal landings as defined in Sec.  679.2 and documented on 
State of Alaska fish tickets or NMFS weekly production reports will be 
used to determine legal trip target landings under paragraph 
(k)(14)(ii)(A)(1) of this section.
    (vi) Process for issuing BSAI TLAS yellowfin sole endorsements.
    (A) NMFS will issue to the holder of each groundfish LLP license 
endorsed to use trawl gear in the Bering Sea and designated in Column A 
of Table 52 to this part a notice of eligibility to receive a BSAI TLAS 
yellowfin sole directed fishery endorsement and a revised groundfish 
LLP license with a BSAI TLAS yellowfin sole directed fishery 
endorsement.
    (B) NMFS will issue to the holder of each groundfish LLP license 
endorsed to use trawl gear in the Bering Sea and designated in Column A 
of Table 53 to this part a notice of eligibility to be credited with a 
legal trip target landing specified in (k)(14)(ii)(A)(1) of this 
section.
    (1) NMFS will also issue to the owner of the vessel designated on 
the groundfish LLP licenses in Column A of Table 53 a notice of 
eligibility for the two listed groundfish LLP licenses to be credited 
with a legal trip target landing specified in (k)(14)(ii)(A)(1) of this 
section. The notice to the vessel owner will provide instructions for 
the vessel owner to select the one groundfish LLP license that NMFS is 
to credit with the legal trip target landing specified in 
(k)(14)(ii)(A)(1) of this section.
    (2) The holder of a groundfish LLP license in Column A of Table 53 
will receive a revised groundfish LLP license with a BSAI TLAS 
yellowfin sole directed fishery endorsement if:
    (i) The owner of the vessel designated on the groundfish LLP 
license requests in writing that NMFS credit that groundfish LLP 
license with the legal trip target landing specified in paragraph 
(k)(14)(ii)(A)(1) of this section;
    (ii) The vessel owner, or the authorized agent, signs the request;
    (iii) The written request is submitted to NMFS using one of the 
following methods: Mail at Regional Administrator, c/o Restricted 
Access Management Program, NMFS, P.O. Box 21668, Juneau, AK 99802-1668; 
fax at 907-586-7352; or hand delivery or carrier at NMFS, Room 713, 709 
West 9th Street, Juneau, AK 99801.
    (iv) NMFS receives the written request and credits the groundfish 
LLP license with the legal trip target landing specified in paragraph 
(k)(14)(ii)(A)(1) of this section; and
    (3) The holder of a groundfish LLP license in Column A of Table 53 
that is not selected by the vessel owner will receive a notice, using 
the address on record at the time the notification is sent, informing 
the holder that the groundfish LLP license was not selected by the 
vessel owner, will not be credited with a legal trip target landing, 
and will not receive a BSAI TLAS yellowfin sole endorsement. The notice 
will inform the holder of the groundfish LLP license of the timing and 
process through which the holder can provide additional information or 
evidence to amend or challenge the information in the official record 
of this section as specified in paragraphs (k)(14)(ii)(D) and (E) of 
this section.
    (C) NMFS will issue to the holder of a groundfish LLP license with 
a Bering Sea trawl designation and that is not listed in either 
proposed Table 52 or 53 a notice informing that holder that the 
groundfish LLP license is not eligible to be credited with a legal trip 
target

[[Page 26251]]

landing or receive a BSAI TLAS yellowfin sole directed fishery 
endorsement based on the official record, using the address on record 
at the time the notification is sent. The notice specified in paragraph 
(k)(14)(ii)(C) will inform the holder of the groundfish LLP license of 
the timing and process through which the holder can provide additional 
information or evidence to amend or challenge the information in the 
official record of this section, as specified in paragraphs 
(k)(14)(ii)(D) and (E) of this section.
    (D) The Regional Administrator will specify by letter a 30-day 
evidentiary period during which an applicant may provide additional 
information or evidence to amend or challenge the information in the 
official record. A person will be limited to one 30-day evidentiary 
period. Additional information or evidence received after the 30-day 
evidentiary period specified in the letter has expired will not be 
considered for purposes of the initial administrative determination 
(IAD).
    (E) The Regional Administrator will prepare and send an IAD to the 
applicant following the expiration of the 30-day evidentiary period, if 
the Regional Administrator determines that the information or evidence 
provided by the person fails to support the person's claims and is 
insufficient to rebut the presumption that the official record is 
correct, or if the additional information, evidence, or revised 
application is not provided within the time period specified in the 
letter that notifies the applicant of his or her 30-day evidentiary 
period. The IAD will indicate the deficiencies with the information or 
evidence submitted. The IAD will also indicate which claims cannot be 
approved based on the available information or evidence. A person who 
receives an IAD may appeal pursuant to 15 CFR part 906. NMFS will issue 
a non-transferable interim license that is effective until final agency 
action on the IAD to an applicant who avails himself or herself of the 
opportunity to appeal an IAD and who has a credible claim to 
eligibility for a BSAI TLAS yellowfin sole endorsement.
* * * * *
0
3. In Sec.  679.7, add paragraph (i)(11) to read as follows;


Sec.  679.7   Prohibitions.

* * * * *
    (i) * * *
    (11) Prohibitions specific to the BSAI Trawl Limited Access Sector 
yellowfin sole directed fishery. Deliver yellowfin sole harvested with 
trawl gear in the BSAI Trawl Limited Access Sector yellowfin sole 
directed fishery to a mothership as defined at Sec.  679.2 without a 
legible copy of a valid groundfish LLP license with a BSAI Trawl 
Limited Access Sector yellowfin sole directed fishery endorsement, 
except as provided in Sec.  679.4(k)(2).
* * * * *
0
4. Add Table 52 to part 679 to read as follows:

 Table 52 to Part 679--Groundfish LLP Licenses Eligible for a BSAI Trawl
    Limited Access Sector Yellowfin Sole Directed Fishery Endorsement
                   [X indicates that Column A applies]
------------------------------------------------------------------------
                      Column A                             Column B
------------------------------------------------------------------------
                                                       Is eligible under
                                                            50 CFR
                                                       679.4(k)(14)(ii)
                                                       to be assigned an
       The Holder of Groundfish License Number          Endorsement for
                                                        the BSAI Trawl
                                                        Limited Access
                                                       Sector Yellowfin
                                                         Sole Fishery
------------------------------------------------------------------------
LLG 3944............................................                  X
LLG 2913............................................                  X
------------------------------------------------------------------------

0
5. Add Table 53 to part 679 to read as follows:

  Table 53 to Part 679--Groundfish LLP Licenses that Require Qualified
   Landings Assignment to be Eligible for a BSAI Trawl Limited Access
           Sector Yellowfin Sole Directed Fishery Endorsement
                   [X indicates that Column A applies]
------------------------------------------------------------------------
                      Column A                             Column B
------------------------------------------------------------------------
                                                       The owner of the
                                                       vessel designated
                                                      on the pair of LLP
                                                      licenses in Column
                                                      A must notify NMFS
   A single vessel was designated on the following     which LLP license
     pairs of groundfish LLP licenses during the       from each pair in
       qualifying period identified in 50 CFR          Column A is to be
               679.4(k)(14)(ii)(A)(1)                    credited with
                                                          qualifying
                                                       landing(s) under
                                                         50 CFR 679.4
                                                        (k)(14)(vi)(2)
------------------------------------------------------------------------
LLG 3838 and LLG 2702...............................                  X
LLG 3902 and LLG 3826...............................                  X
LLG 3714 and LLG 1667...............................                  X
LLG 1820 and LLG 3741...............................                  X
LLG 3741 and LLG 3714...............................                  X
------------------------------------------------------------------------

[FR Doc. 2018-12034 Filed 6-5-18; 8:45 am]
BILLING CODE 3510-22-P



                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                             26237

                                                 recordkeeping requirements, Research,                   § 74.1204 Protection of FM broadcast, FM               DEPARTMENT OF COMMERCE
                                                 Television.                                             Translator and LP100 stations.
                                                 Federal Communications Commission.                      *      *     *    *      *                             National Oceanic and Atmospheric
                                                                                                                                                                Administration
                                                 Marlene Dortch,                                            (f) An application for an FM translator
                                                 Secretary, Office of the Secretary.                     station will not be accepted for filing                50 CFR Part 679
                                                 Proposed Rules                                          even though the proposed operation
                                                                                                         would not involve overlap of field                     [Docket No. 170630613–8489–01]
                                                   For the reasons discussed in the                      strength contours with any other station,
                                                 preamble, the Federal Communications                    as set forth in paragraph (a) of this                  RIN 0648–BH02
                                                 Commission proposes to amend 47 CFR
                                                                                                         section, if grant of the authorization will
                                                 part 74 as follows:                                                                                            Fisheries of the Exclusive Economic
                                                                                                         result in interference to the reception of
                                                                                                                                                                Zone Off Alaska; Yellowfin Sole
                                                 PART 74—EXPERIMENTAL RADIO,                             a regularly used, off-the-air signal of any
                                                                                                                                                                Management in the Groundfish
                                                 AUXILIARY, SPECIAL BROADCAST                            authorized co-channel, first, second or
                                                                                                                                                                Fisheries of the Bering Sea and
                                                 AND OTHER PROGRAM                                       third adjacent channel broadcast station,              Aleutian Islands
                                                 DISTRIBUTIONAL SERVICES                                 including previously authorized
                                                                                                         secondary service stations, within the                 AGENCY:  National Marine Fisheries
                                                 ■ 1. The authority citation for part 74                 54 dBm field strength contour of the                   Service (NMFS), National Oceanic and
                                                 continues to read as follows:                           desired station, as demonstrated by six                Atmospheric Administration (NOAA),
                                                   Authority: 47 U.S.C. 154, 302a, 303, 307,             or more listener complaints, as defined                Commerce.
                                                 309, 310, 336 and 554.                                  in § 74.1201(k), as well as a map                      ACTION: Proposed rule; request for
                                                 ■ 2. Section 74.1201 is amended by                      plotting specific listener addresses in                comments.
                                                 adding paragraph (k) to read as follows:                relation to the relevant station contours.
                                                                                                                                                                SUMMARY:    NMFS proposes regulations to
                                                 § 74.1201   Definitions.                                *      *     *    *      *                             implement Amendment 116 to the
                                                 *      *     *    *     *                               ■ 5. Section 74.1233 is amended by                     Fishery Management Plan for
                                                    (k) Listener complaint. A complaint                  revising paragraph (a)(1) to read as                   Groundfish of the Bering Sea and
                                                 that is signed by the listener and                      follows:                                               Aleutian Islands Management Area
                                                 contains the following information:                                                                            (BSAI FMP). If approved, Amendment
                                                    (1) Full name and contact                            § 74.1233 Processing FM translator and                 116 would limit access to the Bering Sea
                                                 information;                                            booster station applications.                          and Aleutian Islands (BSAI) Trawl
                                                    (2) A clear, concise, and accurate                      (a) * * *                                           Limited Access Sector (TLAS) yellowfin
                                                 description of the location where the                                                                          sole directed fishery by vessels that
                                                 interference is alleged or predicted to                    (1) In the first group are applications
                                                                                                                                                                deliver their catch of yellowfin sole to
                                                 occur;                                                  for new stations or for major changes in
                                                                                                                                                                motherships for processing. This
                                                    (3) A statement that the complainant                 the facilities of authorized stations. For             proposed rule would establish eligibility
                                                 listens to the desired station at least                 FM translator stations, a major change                 criteria based on historical participation
                                                 twice a month; and                                      is:                                                    in the BSAI TLAS yellowfin sole
                                                    (4) A statement that the complainant                    (i) Any change in frequency (output                 directed fishery, issue an endorsement
                                                 has no legal, financial, or familial                    channel) except:                                       to those groundfish License Limitation
                                                 affiliation with the desired station.                                                                          Program (LLP) licenses that meet the
                                                 ■ 3. Section 74.1203 is amended by                         (A) Changes to first, second or third
                                                                                                         adjacent channels, or intermediate                     eligibility criteria, and authorize
                                                 revising paragraph (a)(3) to read as                                                                           delivery of BSAI TLAS yellowfin sole to
                                                 follows:                                                frequency channels; or
                                                                                                                                                                motherships by only those vessels
                                                                                                            (B) Upon a showing of interference to               designated on a groundfish LLP license
                                                 § 74.1203   Interference.
                                                                                                         or from any other broadcast station,                   that is endorsed for the BSAI TLAS
                                                    (a) * * *                                            remedial changes to any frequency; or
                                                    (3) The direct reception by the public                                                                      yellowfin sole directed fishery.
                                                 of the off-the-air signals of any full                     (ii) Any change in antenna location                    This proposed action is necessary to
                                                 service station or previously authorized                where the station would not continue to                prevent increased catcher vessel
                                                 secondary station. Interference will be                 provide 1 mV/m service to some portion                 participation from reducing the benefits
                                                 considered to occur whenever reception                  of its previously authorized 1 mV/m                    the fishery provides to historic and
                                                 of a regularly used signal, as                          service area.                                          recent participants, mitigate the risk that
                                                 demonstrated by six or more listener                                                                           a ‘‘race for fish’’ could develop, and
                                                                                                            (iii) In addition, any change in                    help to maintain the consistently low
                                                 complaints as defined in § 74.1201(k)                   frequency relocating a station from the
                                                 and a map plotting specific listener                                                                           rates of halibut bycatch in the BSAI
                                                                                                         non-reserved band to the reserved band,                TLAS yellowfin sole directed fishery.
                                                 addresses in relation to the relevant                   or from the reserved band to the non-
                                                 station contours, is impaired by the                                                                           This proposed rule is intended to
                                                                                                         reserved band, will be considered major.               promote the goals and objectives of the
                                                 signals radiated by the FM translator or
                                                                                                         All other changes will be considered                   Magnuson-Stevens Fishery
                                                 booster station, regardless of the quality
                                                 of such reception or the channel on                     minor. All major changes are subject to                Conservation and Management Act,
                                                                                                         the provisions of §§ 73.3580 and 1.1104                Amendment 116, the BSAI FMP, and
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                                                 which the protected signal is
                                                 transmitted; except that no listener                    of this chapter pertaining to major                    other applicable laws.
                                                 complaint will be considered actionable                 changes.                                               DATES: Submit comments on or before
                                                 if the alleged interference occurs outside              *       *     *     *    *                             July 6, 2018.
                                                 the desired station’s 54 dBm contour.                   [FR Doc. 2018–11964 Filed 6–5–18; 8:45 am]             ADDRESSES: You may submit comments
                                                 *      *    *      *    *                               BILLING CODE 6712–01–P                                 on this document, identified by FDMS
                                                 ■ 4. Section 74.1204 is amended by                                                                             Docket Number NOAA–NMFS–2017–
                                                 revising paragraph (f) to read as follows:                                                                     0083, by any of the following methods:


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                                                 26238                  Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules

                                                    • Electronic Submission: Submit all                  FMP appear at 50 CFR parts 600 and                     BSAI TLAS yellowfin sole directed
                                                 electronic public comments via the                      679.                                                   fishery from 2008 through 2015
                                                 Federal e-Rulemaking Portal. Go to                        This proposed rule would implement                   (qualifying period) was designated on
                                                 www.regulations.gov/                                    Amendment 116 to the BSAI FMP. The                     more than one groundfish LLP license
                                                 #!docketDetail;D=NOAA-NMFS-2017-                        Council submitted Amendment 116 for                    during the qualifying period, the vessel
                                                 0083, click the ‘‘Comment Now!’’ icon,                  review by the Secretary of Commerce                    owner would be required to select one
                                                 complete the required fields, and enter                 (Secretary), and a Notice of Availability              groundfish LLP license that would
                                                 or attach your comments.                                (NOA) of Amendment 116 was                             receive credit for the qualifying
                                                    • Mail: Submit written comments to                   published in the Federal Register on                   landing(s) and receive a BSAI TLAS
                                                 Glenn Merrill, Assistant Regional                       May 18, 2018, with comments invited                    yellowfin sole directed fishery
                                                 Administrator, Sustainable Fisheries                    through July 17, 2018. Comments                        endorsement.
                                                 Division, Alaska Region NMFS, Attn:                     submitted on this proposed rule by the                    The following sections of this
                                                 Ellen Sebastian. Mail comments to P.O.                  end of the comment period (See DATES)                  preamble provide a description of (1)
                                                 Box 21668, Juneau, AK 99802–1668.                       will be considered by NMFS and                         the LLP, the BSAI TLAS yellowfin sole
                                                    Instructions: Comments sent by any                   addressed in the response to comments                  directed fishery, and related
                                                 other method, to any other address or                   in the final rule. Comments submitted                  management programs; (2) the need for
                                                 individual, or received after the end of                on this proposed rule may address                      this proposed rule; and (3) the proposed
                                                 the comment period, may not be                          Amendment 116 or this proposed rule.                   eligibility criteria and process for
                                                 considered by NMFS. All comments                        However, all comments addressing                       obtaining new endorsements
                                                 received are a part of the public record                Amendment 116 must be received by                      authorizing delivery of BSAI TLAS
                                                 and will generally be posted for public                 July 17, 2018, to be considered in the                 yellowfin sole directed fishery catch to
                                                 viewing on www.regulations.gov                          approval/disapproval decision on                       motherships.
                                                 without change. All personal identifying                Amendment 116. Commenters do not
                                                                                                         need to submit the same comments on                    Description of the License Limitation
                                                 information (e.g., name, address),
                                                                                                         both the NOA and this proposed rule.                   Program, the BSAI TLAS Yellowfin
                                                 confidential business information, or
                                                                                                         All relevant written comments received                 Sole Directed Fishery, and Related
                                                 otherwise sensitive information
                                                                                                         by July 17, 2018, whether specifically                 Management Programs
                                                 submitted voluntarily by the sender will
                                                 be publicly accessible. NMFS will                       directed to the FMP amendment, this                    License Limitation Program
                                                 accept anonymous comments (enter ‘‘N/                   proposed rule, or both, will be
                                                                                                         considered by NMFS in the approval/                       The Council and NMFS have long
                                                 A’’ in the required fields if you wish to                                                                      sought to control the amount of fishing
                                                 remain anonymous).                                      disapproval decision for Amendment
                                                                                                         116 and addressed in the response to                   effort in the BSAI groundfish fisheries to
                                                    Electronic copies of Amendment 116                                                                          ensure that the fisheries are
                                                 and the draft Environmental                             comments in the final rule.
                                                                                                                                                                conservatively managed and do not
                                                 Assessment/Regulatory Impact Review                     Background                                             exceed established biological
                                                 prepared for this action (collectively the                                                                     thresholds. One of the measures used by
                                                                                                            In June 2017, the Council adopted
                                                 ‘‘Analysis’’) may be obtained from                                                                             the Council and NMFS to control
                                                                                                         Amendment 116. If approved by the
                                                 www.regulations.gov. Electronic copies                                                                         fishing effort is the LLP, which limits
                                                                                                         Secretary, Amendment 116 would
                                                 of Amendments 80 and 39 to the BSAI                     require that a vessel be designated on a               access to the groundfish fisheries in the
                                                 FMP, and the Environmental                              groundfish LLP license with a BSAI                     BSAI. With some limited exceptions,
                                                 Assessments/Regulatory Impact                           TLAS yellowfin sole directed fishery                   the LLP requires that persons hold and
                                                 Reviews prepared for those actions also                 endorsement for that vessel to be used                 designate on a groundfish LLP license
                                                 may be obtained from                                    to harvest yellowfin sole in the BSAI                  each vessel that is used to fish in
                                                 www.regulations.gov.                                    TLAS yellowfin sole directed fishery                   Federally managed groundfish fisheries.
                                                    Written comments regarding the                       and deliver that catch to a mothership.                The LLP is intended to prevent
                                                 burden-hour estimates or other aspects                  The terms ‘‘directed fishery’’ and                     unlimited entry into groundfish
                                                 of the collection-of-information                        ‘‘mothership’’ are defined at 50 CFR                   fisheries managed under the BSAI FMP.
                                                 requirements contained in this rule may                 679.2. A groundfish LLP license would                     The LLP for BSAI groundfish fisheries
                                                 be submitted by mail to NMFS at the                     be eligible for such an endorsement if it              was recommended by the Council as
                                                 above address; and by email to OIRA_                    is credited with at least one qualifying               Amendment 39 to the BSAI FMP. The
                                                 Submission@omb.eop.gov or by fax to                     landing, where the term ‘‘qualifying                   Council adopted the LLP for BSAI
                                                 (202)–395–5806.                                         landing’’ would be defined under this                  groundfish in June 1995, and NMFS
                                                 FOR FURTHER INFORMATION CONTACT:                        proposed rule as a legal trip target                   approved Amendment 39 on September
                                                 Bridget Mansfield, 907–586–7228 or                      landing in the BSAI TLAS yellowfin                     12, 1997. NMFS published the final rule
                                                 bridget.mansfield@noaa.gov.                             sole directed fishery made to a                        to implement the LLP on October 1,
                                                 SUPPLEMENTARY INFORMATION:                              mothership in any one year from 2008                   1998 (63 FR 52642), and fishing under
                                                                                                         through 2015. Under this proposed rule,                the LLP began on January 1, 2000. The
                                                 Authority for Action                                    the term ‘‘trip target’’ would be defined              preamble to the final rule implementing
                                                    NMFS manages the groundfish                          as a groundfish species that is retained               the BSAI groundfish LLP and the EA/
                                                 fisheries in the exclusive economic zone                in an amount greater than the retained                 RIR/IRFA prepared for that action
                                                 of the BSAI under the BSAI FMP. The                     amount of any other groundfish species                 describe the rationale and specific
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                                                 North Pacific Fishery Management                        for that trip. For those vessels used to               provisions of the LLP in greater detail
                                                 Council (Council) prepared the BSAI                     make a qualifying landing, only one                    (see ADDRESSES) and are not repeated
                                                 FMP under the authority of the                          groundfish LLP license on which the                    here.
                                                 Magnuson-Stevens Fishery                                vessel was designated during the                          The key components of the LLP are
                                                 Conservation and Management Act                         qualifying period would be eligible to                 briefly summarized as follows. The
                                                 (Magnuson-Stevens Act), 16 U.S.C. 1801                  receive the endorsement under this                     BSAI groundfish LLP established
                                                 et seq. Regulations governing U.S.                      proposed rule. If a vessel that made at                specific criteria that must be met to
                                                 fisheries and implementing the BSAI                     least one legal trip target landing in the             allow a vessel to receive a groundfish


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                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                            26239

                                                 LLP license and continue to be eligible                 LLP licenses with a catcher/processor                  and halibut prohibited species catch
                                                 to fish in directed groundfish fisheries                (CP) endorsement if a vessel caught and                (PSC) limits, between the Amendment
                                                 managed under the BSAI FMP. Vessels                     processed its own catch at-sea during                  80 sector and the BSAI TLAS.
                                                 under 32 feet length overall (LOA) in                   the specific qualifying periods (63 FR                 Allocations made to the Amendment 80
                                                 the BSAI, and vessels using jig gear in                 52642, October 1, 1998). As an example,                sector are exclusive to the Amendment
                                                 the BSAI that are less than 60 feet LOA                 in order to receive a groundfish LLP                   80 sector and not subject to harvest in
                                                 and that deploy no more than five                       endorsed for trawl gear in the AI with                 other fishery sectors. The Amendment
                                                 jigging machines are exempt from the                    a CP designation, a vessel must have                   80 sector is precluded from harvesting
                                                 requirements to have a groundfish LLP                   met the minimum groundfish harvesting                  Amendment 80 species allocated to the
                                                 license.                                                and landing requirements for the AI                    BSAI TLAS. The Council’s intent in
                                                    Under the LLP, NMFS issued licenses                  using trawl gear during the qualifying                 establishing the BSAI TLAS was to
                                                 that (1) endorse fishing activities in                  period, and must have processed the                    provide harvesting opportunities for
                                                 specific regulatory areas in the BSAI; (2)              qualifying catch on board the vessel.                  AFA CPs, AFA CVs, and non-AFA CVs.
                                                 restrict the length of the vessel on which                                                                        The ITAC represents the amount of
                                                 the LLP license may be used; (3)                        BSAI TLAS Yellowfin Sole Directed                      TAC for each Amendment 80 species
                                                 designate the fishing gear that may be                  Fishery and Amendment 80                               that is available for harvest after
                                                 used on the vessel (i.e., trawl or non-                    The yellowfin sole (Limanda aspera)                 allocations to the CDQ program and the
                                                 trawl gear designations); and (4)                       is one of the most abundant flatfish                   incidental catch allowance (ICA) have
                                                 designate the type of vessel operation                  species in the eastern Bering Sea and is               been subtracted. The ICA is an amount
                                                 permitted (i.e., specify whether the                    the target of the largest flatfish fishery             set aside for the incidental harvest of
                                                 vessel designated on the LLP license                    in the United States. They inhabit the                 each Amendment 80 species by non-
                                                 may operate as a catcher vessel or as a                 eastern Bering Sea shelf and are                       Amendment 80 vessels targeting other
                                                 catcher/processor). LLP licenses are                    considered one stock. Abundance in the                 groundfish species in non-trawl
                                                 issued so that the endorsements for                     Aleutian Islands region is negligible.                 fisheries and in the BSAI TLAS
                                                 specific regulatory areas, gear                         The BSAI yellowfin sole directed                       fisheries. The annual proportion of
                                                 designations, and vessel operational                    fishery was historically managed under                 yellowfin sole ITAC allocated to the
                                                 types are non-severable from the LLP                    a total allowable catch (TAC) limit that               Amendment 80 sector and the BSAI
                                                 license (i.e., once issued, the                         could be harvested by eligible vessels.                TLAS depends on the amount at which
                                                 components of the LLP license cannot                    In 1998, regulations allocated a portion               the yellowfin sole ITAC is set. As the
                                                 be transferred independently). By                       of the TAC to the Community                            amount of ITAC for BSAI yellowfin sole
                                                 creating LLP licenses with these                        Development Quota (CDQ) Program (63                    increases, the proportion of the ITAC
                                                 characteristics, the Council and NMFS                   FR 8356, February 19, 1998). The                       assigned to the BSAI TLAS also
                                                 limited the ability of a person to use an               allocation of the BSAI yellowfin sole                  increases.
                                                 assigned LLP license—which was                          TAC was further modified in the late                      To further accommodate yellowfin
                                                 derived from the historic fishing activity              2000s when the Council recommended                     sole harvest opportunities for the BSAI
                                                 in one area with a specific fishing gear                and NMFS approved and implemented                      TLAS, the Amendment 80 Program
                                                 or operational type—in other areas, with                Amendment 80 to the BSAI FMP (72 FR                    relieves AFA sideboard limits for
                                                 other gears, or for other operational                   52668, September 14, 2007).                            yellowfin sole when the yellowfin sole
                                                 types. The Council’s intent of such                        Along with other measures,                          ITAC is equal to or greater than 125,000
                                                 limitation was to curtail the ability of                Amendment 80 allocated six BSAI non-                   metric tons (mt). The lifting of AFA
                                                 the LLP license holder to expand fishing                pollock groundfish species among two                   sideboard limits for yellowfin sole
                                                 capacity, which could decrease the                      trawl fishery sectors. The six species,                allows AFA vessels to increase their
                                                 benefits derived by the existing                        known as ‘‘Amendment 80 species,’’                     yellowfin sole TLAS harvest,
                                                 participants from those other fisheries.                include Aleutian Islands Pacific ocean                 particularly in periods of reduced
                                                 The preamble to the final rule                          perch, BSAI Atka mackerel, BSAI                        availability of pollock. Implementation
                                                 implementing the BSAI groundfish LLP                    flathead sole, BSAI Pacific cod, BSAI                  of the AFA included the establishment
                                                 provides a more detailed explanation of                 rock sole, and BSAI yellowfin sole.                    of harvesting and processing limits,
                                                 the rationale for specific provisions in                These species are allocated for harvest                known as sideboards, to protect vessels
                                                 the LLP (63 FR 52642, October 1, 1998).                 between the Amendment 80 sector,                       and processors in other, non-pollock
                                                    In order to receive a BSAI groundfish                comprised of specific vessels identified               fisheries from spillover effects resulting
                                                 LLP license, a vessel owner had to meet                 under Amendment 80, and all other                      from the rationalization and
                                                 minimum landing requirements with                       BSAI trawl fishery participants not in                 privatization of the BSAI pollock
                                                 the vessel during a specific time frame.                the Amendment 80 sector. The other                     fishery. The need for AFA sideboard
                                                 Specifically relevant to this proposed                  BSAI trawl fishery participants include                limits for yellowfin sole was reduced
                                                 rule, a vessel owner received a BSAI                    American Fisheries Act (AFA) CPs, AFA                  with Amendment 80, because most of
                                                 groundfish LLP license endorsed for a                   CVs, and non-AFA CVs. Collectively,                    the yellowfin sole ITAC is allocated to
                                                 specific regulatory area in the BSAI (the               this group of other, or non-Amendment                  the Amendment 80 sector for exclusive
                                                 Bering Sea (BS), the Aleutian Islands                   80, trawl fishery participants comprises               harvest, and AFA vessels no longer
                                                 (AI), or both) if that vessel met specific              the BSAI TLAS. The BSAI TLAS is                        directly compete with the Amendment
                                                 harvesting and landing requirements for                 defined at 50 CFR 679.2. The BSAI                      80 sector for yellowfin sole. Since 2008,
                                                 that specific regulatory area during the                TLAS fisheries are conducted in the                    the yellowfin sole ITAC has been higher
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                                                 qualifying periods established in the                   BSAI using trawl gear, using non-                      than 125,000 mt, so yellowfin sole
                                                 final rule implementing the LLP (63 FR                  Amendment 80 vessels designated on a                   sideboard limits have not been in place
                                                 52642, October 1, 1998). NMFS issued                    non-Amendment 80 LLP license, and do                   for AFA vessels since implementation of
                                                 groundfish LLP licenses with a catcher                  not include CDQ groundfish fisheries or                Amendment 80. Additional detail on
                                                 vessel (CV) operation type if a vessel                  fishing for CDQ groundfish.                            the rationale for the specific allocations
                                                 caught but did not process its catch at-                   Each year, NMFS allocates the initial               in the BSAI TLAS yellowfin sole
                                                 sea during the specific qualifying                      total allowable catch (ITAC) of the six                fishery, and the management of AFA
                                                 periods; and NMFS issued groundfish                     Amendment 80 species, as well as crab                  sideboards is provided in the final rule


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                                                 26240                  Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules

                                                 implementing Amendment 80 (72 FR                        the fishery after 2008, data from                         From 2008 through 2014, the annual
                                                 52668, September 14, 2007).                             landings to those vessels were included                number of AFA and non-AFA CVs
                                                    Although the Council was clear in its                in the analysis of impacts of the                      participating in the BSAI TLAS
                                                 intent to prohibit Amendment 80                         alternatives. For purposes of this                     yellowfin sole offshore sector ranged
                                                 vessels from harvesting Amendment 80                    proposed rule a stationary floating                    from zero to three vessels. The annual
                                                 species allocated to the BSAI TLAS, the                 processor is considered a mothership. In               number of participating CVs increased
                                                 Council did not specifically address                    this preamble, NMFS uses the term                      to six in 2015 and to nine in 2016. In
                                                 during its development of Amendment                     ‘‘offshore sector’’ when referring to                  2017, eight CVs participated in the
                                                 80 whether Amendment 80 vessels                         vessels that are harvesting BSAI TLAS                  fishery, with one CV being a new
                                                 should be eligible to serve as processing               yellowfin sole and either delivering that              entrant to the fishery. The CV share of
                                                 platforms for the BSAI TLAS sector. A                   catch to motherships for processing or                 the total BSAI TLAS yellowfin sole
                                                 vessel that receives and processes                      processing their own catch. AFA CPs                    directed fishery harvest rose from an
                                                 groundfish from other vessels is referred               participate in the offshore sector by (1)              average of 17 percent each year from
                                                 to as a ‘‘mothership’’ (see definition at               catching and processing yellowfin sole                 2008 through 2014 to 45 percent in
                                                 50 CFR 679.2). Although Amendment                       (i.e., operating as a CP); (2) receiving               2015, 48 percent in 2016, and 58
                                                 80 vessels operate as CPs in the                        and processing deliveries of yellowfin                 percent in 2017 (Section 2.7.1.1 of the
                                                 Amendment 80 sector (i.e., the vessels                  sole from CVs (i.e., operating as a                    Analysis).
                                                 catch and process their own catch),                     mothership); or (3) catching and                          Harvest patterns for CVs in the BSAI
                                                 Amendment 80 vessels meet the                           delivering their harvest to other CPs                  TLAS yellowfin sole directed fishery
                                                 regulatory definition of a mothership                   operating as motherships for processing                have also changed over time. In 2008,
                                                 when they receive and process catch                     (i.e., operating as a CV). No AFA CPs                  participating CVs fished BSAI TLAS
                                                 from catcher vessels fishing in the BSAI                have operated solely as motherships                    yellowfin sole from March until
                                                 TLAS fisheries.                                         (i.e., vessels that do not harvest fish and            December. After the first year of the
                                                    The final rule implementing                          only receive catch for processing) in the              fishery, CVs fished BSAI TLAS
                                                 Amendment 80 clarified that                             BSAI TLAS yellowfin sole directed                      yellowfin sole in April, September, and
                                                 Amendment 80 vessels could be used as                   fishery since it began in 2008.                        October. Starting in 2012, CVs fished
                                                 motherships for catcher vessels fishing                    The BSAI TLAS yellowfin sole TAC                    BSAI TLAS yellowfin sole until the
                                                 in the BSAI TLAS fisheries, based on                    was not fully harvested during the first               season ended or NMFS closed the
                                                 public comments received on the                         five years of the fishery (2008 through                fishery to directed fishing. From 2012
                                                 proposed rule to implement                              2012) due to limited fishing effort                    through 2015, this meant that CVs
                                                 Amendment 80, further analysis by                       combined with high allocations. During                 fished in the BSAI TLAS yellowfin sole
                                                 NMFS, and the lack of clearly stated                    this five-year period, harvests ranged                 directed fishery throughout most of the
                                                 Council intent to the contrary. The final               from a low of 31 percent of the TAC in                 year. However, in 2016 and 2017, the
                                                 rule implementing Amendment 80                          2009 to a high of 87 percent of the TAC                fishing season was significantly
                                                 modified the proposed regulations to                    in 2010. Since 2013, the BSAI TLAS                     shortened, with NMFS closing the
                                                 permit this activity, noted that this                   yellowfin sole TAC has been more fully                 fishery in June and May, respectively,
                                                 revision accommodated one                               harvested with at least 93 percent of the              due to the TAC being reached. Section
                                                 Amendment 80 vessel that had                            TAC harvested in each year (Section                    2.7.1.1 of the Analysis provides
                                                 historically been used as a mothership,                 2.6.1.2 of the Analysis).                              additional detail on the participation
                                                 and acknowledged that the revision                         Since implementation of the BSAI                    and harvesting patterns in the BSAI
                                                 provided for potential future growth in                 TLAS yellowfin sole directed fishery in                TLAS yellowfin sole fishery.
                                                 the use of Amendment 80 vessels as                      2008, the number of AFA CPs actively                      CPs operating as motherships take
                                                 motherships in the BSAI TLAS. A                         fishing and processing has ranged from                 deliveries of harvested BSAI TLAS
                                                 detailed description of the Council’s                   8 to 12 vessels. Until 2015, AFA CPs                   yellowfin sole from CVs and CPs acting
                                                 intent and NMFS’ actions regarding                      harvested about 85 percent of the total                as CVs for at-sea processing. Only one
                                                 limitations of Amendment 80 vessels                     catch in the BSAI TLAS yellowfin sole                  Amendment 80 CP acting as a
                                                 catching, receiving, and processing fish                directed fishery. However, the                         mothership participated in the fishery
                                                 assigned to the BSAI TLAS is provided                   percentage of total catch harvested by                 from 2008 through 2014. From 2015
                                                 in the proposed rule (72 FR 30052, May                  AFA CPs has diminished each year                       through 2017, the number of CPs
                                                 30, 2007) and in the final rule                         since 2015, and comprised                              operating as motherships and receiving
                                                 implementing Amendment 80 (72 FR                        approximately 42 percent of the total                  catch from CVs expanded to seven
                                                 52668, September 14, 2007).                             harvest in 2017. Harvest patterns of                   vessels. In 2017, six Amendment 80 CPs
                                                                                                         AFA CPs also have changed since the                    and one AFA CP operated as
                                                 Increased Participation in the Offshore                 inception of the fishery. From 2008 to                 motherships for CVs in the BSAI TLAS
                                                 BSAI TLAS Yellowfin Sole Directed                       2010, participating AFA CPs fished from                yellowfin sole directed fishery. The
                                                 Fishery                                                 January 20th through February and                      increased use of Amendment 80 vessels
                                                   The current BSAI TLAS yellowfin                       occasionally into March or April each                  operating as motherships has increased
                                                 sole directed fishery is almost entirely                year. Starting in 2011, prosecution of                 opportunities for CV deliveries. This
                                                 an offshore fishery composed of two                     the fishery by AFA CPs developed into                  increased opportunity is demonstrated
                                                 primary groups: (1) AFA CPs, and (2)                    two distinct fishing patterns. The first               by the increased number of CVs that
                                                 AFA and non-AFA CVs delivering                          pattern consists of most participating                 participated in 2015 through 2017, and
daltland on DSKBBV9HB2PROD with PROPOSALS




                                                 yellowfin sole to AFA and Amendment                     AFA CPs fishing for only two weeks                     the higher proportion of BSAI TLAS
                                                 80 CPs operating as motherships.                        beginning January 20th each year. The                  yellowfin sole catch that was harvested
                                                 Section 2.7.1.1 of the Analysis                         second pattern generally consists of two               by CVs in 2015 through 2017 relative to
                                                 considered by the Council for this                      AFA CPs fishing all year. Section 2.7.1.1              previous years. Section 2.7.1.1 of the
                                                 action noted that two stationary floating               of the Analysis provides additional                    Analysis provides additional detail on
                                                 processors participated in the fishery as               detail on the participation and                        the factors affecting mothership patterns
                                                 motherships prior to 2009. Although                     harvesting patterns in the BSAI TLAS                   in the BSAI TLAS yellowfin sole
                                                 those processors did not participate in                 yellowfin sole fishery.                                fishery.


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                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                              26241

                                                    The potential exists for additional                  BSAI TLAS yellowfin sole directed                      period, only those groundfish LLP
                                                 motherships and CVs to participate in                   fishery and the expectation of additional              licenses on which the vessel was
                                                 the BSAI TLAS yellowfin sole directed                   capacity entering the fishery, the                     designated, when the vessel was used to
                                                 fishery. Section 2.7.1.1 of the Analysis                Council identified three management                    make at least one trip target landing in
                                                 estimates that up to seven additional                   and conservation concerns that it                      a BSAI TLAS fishery from 2008 through
                                                 Amendment 80 CPs could enter the                        wanted to address with Amendment                       2015, would be eligible to be credited
                                                 BSAI TLAS yellowfin sole offshore                       116: (1) The likelihood of decreasing                  with a qualifying landing. In such cases,
                                                 sector as motherships based on a range                  benefits from the fishery for long-time,               the vessel owner would be required to
                                                 of factors described in the Analysis.                   historic, and recent participants given                select one of these eligible groundfish
                                                 These motherships could provide                         the increasing number of participants in               LLP licenses to receive credit with the
                                                 processing capacity for up to 21                        the fishery and shorter fishing seasons;               qualifying landings. Under the proposed
                                                 additional CVs. These estimates likely                  (2) an increased risk of a race for fish;              rule, groundfish LLP licenses that meet
                                                 represent the maximum potential                         and (3) the potential for higher halibut               the eligibility criteria and are credited
                                                 expansion of capacity in the BSAI TLAS                  bycatch. The Council noted the increase                with a qualifying landing would receive
                                                 yellowfin sole directed fishery. Section                in the number of participating CVs                     from NMFS a groundfish LLP
                                                 2.7.1.1 of the Analysis provides                        combined with recent lower BSAI TLAS                   endorsement that would authorize
                                                 additional detail on the potential for                  yellowfin sole allocations was resulting               participation in the offshore BSAI TLAS
                                                 new motherships and CVs to enter the                    in a fully utilized fishery with                       yellowfin sole directed fishery. Vessels
                                                 BSAI TLAS yellowfin sole fishery.                       increasingly shorter fishing seasons.                  not designated on groundfish LLP
                                                                                                         Shorter fishing seasons can be more                    licenses that receive the endorsement
                                                 Halibut Bycatch in the BSAI TLAS
                                                                                                         difficult for NMFS to manage catch                     would be prohibited from participating
                                                 Yellowfin Sole Directed Fishery
                                                                                                         within established limits and increase                 in the BSAI TLAS yellowfin sole
                                                    NMFS monitors the bycatch of halibut                 the incentives for vessels to harvest                  directed fishery and delivering their
                                                 in the BSAI TLAS yellowfin sole                         quickly in order to harvest a greater                  catch to a mothership for processing.
                                                 directed fishery against the halibut PSC                share of the TAC before it is fully                       The Council determined and NMFS
                                                 limits established for the fishery, and                 harvested and the fishery is closed. This              agrees that limiting CV access to the
                                                 will close or otherwise restrict trawl                  ‘‘race for fish’’ may result in fishing                offshore BSAI TLAS yellowfin sole
                                                 harvests of BSAI TLAS yellowfin sole if                 with less care and the potential for                   directed fishery is necessary to ease the
                                                 halibut PSC limits are projected to be                  increased halibut PSC rates which could                likelihood of increased harvesting
                                                 reached. Fishery closures due to                                                                               pressure and the shortening of the
                                                                                                         lead to closure of the fishery before the
                                                 reaching halibut PSC limits can occur                                                                          fishing season, mitigate the risk that a
                                                                                                         TAC is fully harvested. Public testimony
                                                 before the BSAI TLAS yellowfin sole                                                                            ‘‘race for fish’’ could continue to
                                                                                                         to the Council included concerns that
                                                 TAC is fully harvested, thereby reducing                                                                       develop and accelerate, and help to
                                                                                                         the shorter fishing season was having a
                                                 overall revenue to vessel operators and                                                                        maintain the consistently low rates of
                                                                                                         negative effect on access to the fishery
                                                 crew. To avoid this outcome, vessel                                                                            halibut bycatch in the BSAI TLAS
                                                                                                         by CVs that participated in the fishery
                                                 operators may accelerate fishing                                                                               yellowfin sole directed fishery. The
                                                                                                         prior to 2015.
                                                 operations to maximize harvest of                                                                              Council also determined, and NMFS
                                                 yellowfin sole before the halibut PSC                      In order to address these concerns, the             agrees, that this proposed rule would
                                                 limit is reached.                                       Council determined that management                     reasonably balance the need to limit
                                                    The halibut PSC limit for the BSAI                   measures are needed that would limit                   additional future and very recent
                                                 TLAS yellowfin sole directed fishery                    access to the BSAI TLAS yellowfin sole                 speculative entry to the BSAI TLAS
                                                 ranged between 162 to 241 mt from                       directed fishery by vessels harvesting                 yellowfin sole directed fishery to help
                                                 2008 through 2014, with the halibut                     BSAI TLAS yellowfin sole and                           control the pace of fishing with the need
                                                 PSC limit being exceeded in 2013 by 18                  delivering their catch to a mothership                 to provide continued access and
                                                 mt. In 2014, 60 mt of halibut PSC was                   for processing. Specifically, the Council              benefits to historic, long time and more
                                                 reapportioned from the BSAI TLAS                        recommended as its preferred                           recent participants.
                                                 Pacific cod fishery to the BSAI TLAS                    alternative for Amendment 116 that a                      The Council determined and NMFS
                                                 yellowfin sole fishery to allow the                     vessel would be eligible to participate in             agrees that the proposed action would
                                                 fishery to remain open for the rest of the              the BSAI TLAS yellowfin sole directed                  likely prevent the fishing season from
                                                 year for participants to harvest the                    fishery and deliver its catch to a                     shortening further because it removes
                                                 remaining BSAI TLAS yellowfin sole                      mothership only if that vessel was                     the ability for additional capacity to
                                                 TAC. From 2015 through 2017, the                        designated on a groundfish LLP license                 enter the fishery and harvest the TAC or
                                                 halibut PSC limit was between 150 to                    that has been credited with at least one               reach halibut PSC limits more quickly.
                                                 167 mt, but it was not reached in any                   trip target landing in the BSAI TLAS                   As described in Section 2.7.1.2 of the
                                                 of these years before the fishery closed                yellowfin sole directed fishery made to                Analysis, the fishing seasons in 2016
                                                 when the BSAI TLAS yellowfin sole                       a mothership or catcher/processor in                   and 2017 were the shortest on record for
                                                 TAC was fully harvested. Halibut                        any one year from 2008 through 2015.                   this fishery at the time of the highest
                                                 mortality rates for the BSAI TLAS                       The Council recognized that this                       levels of CV participation and with CVs
                                                 yellowfin sole directed fishery for 2008                eligibility criterion may qualify more                 harvesting the highest proportion of the
                                                 through 2017 ranged from 1.11 to 6.55                   groundfish LLP licenses than vessels                   fishery’s TAC. The pace of fishing
                                                 kg halibut per mt groundfish, with a                    with a qualifying landing, because some                during those fishing seasons may have
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                                                 generally increasing trend from 2010                    vessels with a qualifying landing may                  increased due to additional speculative
                                                 through 2016, followed by a drop in                     have been designated on more than one                  entry and concerns by ongoing
                                                 2017.                                                   groundfish LLP license during the                      participants about the increasing
                                                                                                         qualifying period. Therefore, the                      competition. This proposed rule could
                                                 Need for Action                                         Council also recommended that if a                     help lengthen the fishing season and
                                                   Given the recent and dramatic                         vessel with a qualifying landing was                   mitigate a ‘‘race for fish’’ by limiting the
                                                 increases in CV and mothership                          designated on more than one groundfish                 eligible groundfish LLP licenses, such
                                                 participation that have occurred in the                 LLP license during the qualifying                      that participation is generally


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                                                 26242                  Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules

                                                 representative of the 2015 fishing year,                including: (1) How eligible landings                   TLAS yellowfin sole directed fishery
                                                 when the season lasted until late in the                would be determined; (2) the range of                  based on the vessel’s incidental catch of
                                                 year. This proposed rule also could help                years during which eligible landings                   yellowfin sole. This is consistent with
                                                 lengthen the fishing season and mitigate                would need to be made (i.e., qualifying                previous eligibility criteria for limiting
                                                 a ‘‘race for fish’’ by allowing eligible                period); (3) the number of years during                access to some fisheries based on trip
                                                 CVs more flexibility in fishing                         the qualifying period in which eligible                target, rather than directed fishing
                                                 operations through predictable levels of                landings would need to be made; and                    activity. In the case of this proposed
                                                 competition. That flexibility may help                  (4) whether the requirement for a BSAI                 action, the use of trip target to establish
                                                 improve fishing efficiency and reduce                   TLAS yellowfin sole directed fishery                   qualification for the BSAI TLAS
                                                 halibut PSC in the fishery by allowing                  endorsement would be removed under                     yellowfin sole directed fishery
                                                 vessels to take steps to reduce halibut                 specific TAC conditions. In addition to                endorsement would result in the same
                                                 PSC, such as leaving or avoiding areas                  other factors considered and addressed                 number of LLP licenses qualifying for
                                                 of high halibut concentration. At a                     in the Analysis, the Council and NMFS                  the BSAI TLAS yellowfin sole directed
                                                 minimum, the proposed action is                         considered the proposed action’s                       fishery endorsement as there were CVs
                                                 expected to minimize further negative                   consistency with allocations initially                 that participated in the fishery for any
                                                 impact on the resources that could                      made under the Amendment 80                            one year during the proposed qualifying
                                                 occur if CV participation in the fishery                Program, its potential impacts on the                  period.
                                                 were maintained at 2016 levels or                       BSAI TLAS Pacific cod fishery, and
                                                                                                                                                                Why was the range of qualifying years
                                                 allowed to continue to increase. The                    whether this proposed action would
                                                                                                                                                                selected?
                                                 proposed action may also help to                        constitute a limited access privilege
                                                 facilitate voluntary best practices                     program as that term is defined under                     The Council considered two ranges of
                                                 agreements between CVs and AFA CPs                      the Magnuson-Stevens Act. The                          years for determining qualifying
                                                 in the BSAI TLAS yellowfin sole                         following briefly summarizes these                     landings; 2008 through 2015 and 2008
                                                 directed fishery to avoid halibut PSC.                  options and key considerations.                        through 2016. The Council selected
                                                 The Council also considered whether                                                                            2008 as the start of both qualifying
                                                                                                         Why are qualifying landings based on                   periods because 2008 was the first year
                                                 this proposed action could have adverse
                                                                                                         trip target rather than directed fishing?              of the BSAI TLAS yellowfin sole
                                                 impacts on other fisheries, specifically
                                                 the BSAI TLAS Pacific cod fishery, if                      At its February 2017 meeting, the                   directed fishery. The Council ended one
                                                 CVs or motherships were displaced                       Council clarified that eligibility criteria            qualifying period with 2015, because
                                                 from participation in the BSAI TLAS                     should be based on trip target landings                2015 is the year the Council initiated
                                                 yellowfin sole fishery. As described in                 rather than directed fishing landings.                 the analysis for Amendment 116 and the
                                                 Section 2.7.2.1 of the Analysis and later               Directed fishing is defined as any                     last year of participation in the fishery
                                                 in this preamble, the Council                           fishing activity that results in retention             prior to the Council’s announced
                                                 concluded, and NMFS agrees, that such                   of an amount of a species on board a                   control date of October 13, 2015. The
                                                 adverse impacts are not likely.                         vessel that is greater than the maximum                Council ended the other qualifying
                                                    Under the LLP, a license can be                      retainable amount for that species (see                period with 2016 to allow consideration
                                                 transferred to a different vessel that is               definition at 50 CFR 679.2). Under this                of the most recent participants based on
                                                 eligible to be designated on that LLP                   definition, a vessel may be targeting and              public testimony. In determining the
                                                 license, but only one vessel can be                     retaining Pacific cod but also retaining               two options for a qualifying period, the
                                                 designated on an LLP license at any                     incidentally caught yellowfin sole at an               Council also took into consideration
                                                 given time. Additionally, a vessel may                  amount that exceeds the maximum                        participation in the fishery prior to 2008
                                                 be designated on more than one LLP                      retainable amount for yellowfin sole.                  and during 2017. The Council selected
                                                 license at one time. Therefore, the                     NMFS would consider the vessel to be                   2008 through 2015 as its preferred
                                                 number of eligible groundfish LLP                       directed fishing for Pacific cod and                   qualifying period for eligibility for a
                                                 licenses presented in this proposed rule                directed fishing for yellowfin sole in                 BSAI TLAS yellowfin sole directed
                                                 and the Analysis represents the                         such a situation. Thus, limiting access                fishery endorsement. In selecting the
                                                 maximum number of CVs that NMFS                         to the BSAI TLAS yellowfin sole                        2008 through 2015 period, the Council
                                                 currently has determined would be                       directed fishery based on a history of                 considered the potential for future entry
                                                 eligible to conduct directed fishing for                directed fishing activity could result in              of capacity into the fishery, while also
                                                 BSAI TLAS yellowfin sole. If                            CVs meeting minimum landings                           recognizing existing participation.
                                                 Amendment 116 is approved and this                      requirements based on incidental catch                    Under the 2008 through 2015
                                                 proposed rule is finalized, fewer and/or                of yellowfin sole.                                     qualifying period that had at least one
                                                 different CVs designated on groundfish                     Under this proposed rule, ‘‘trip                    qualifying landing made in any one year
                                                 LLP licenses with a BSAI TLAS                           target’’ would be defined as a landing in              during the period, the Analysis
                                                 yellowfin sole directed fishery                         which the amount of retained BSAI                      indicates that a total of eight LLP
                                                 endorsement may be used to conduct                      TLAS yellowfin sole is greater than the                licenses would be eligible to receive a
                                                 directed fishing for BSAI TLAS                          retained amount of any other groundfish                BSAI TLAS yellowfin sole directed
                                                 yellowfin sole and deliver the catch to                 species for that trip. The Council’s                   fishery endorsement. Under the 2008
                                                 a mothership. The Analysis uses the                     intent with this action is to provide                  through 2016 qualifying period with at
                                                 current groundfish LLP license vessel                   endorsements to those CVs that were                    least one qualifying landing made in
                                                 designations to describe the likely                     intentionally targeting yellowfin sole in              any one year during the period, ten LLP
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                                                 impacts of the proposed action, because                 the BSAI TLAS yellowfin sole directed                  licenses would be eligible to receive a
                                                 it is not possible to know how the vessel               fishery and not to provide endorsements                BSAI TLAS yellowfin sole directed
                                                 designations on groundfish LLP licenses                 to CVs that were intentionally targeting               fishery endorsement. The Council was
                                                 may change in the future.                               other groundfish species but retaining                 aware of the potential for additional
                                                    The Council considered a range of                    their incidental catch of yellowfin sole.              effort to enter the BSAI TLAS yellowfin
                                                 options that would qualify a groundfish                 Using trip target to determine eligibility             sole directed fishery while the Council
                                                 LLP license for a BSAI TLAS yellowfin                   would limit the potential for a vessel to              considered Amendment 116, and was
                                                 sole directed fishery endorsement,                      qualify for participation in the BSAI                  aware that additional or speculative


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                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                             26243

                                                 effort could enter the fishery to establish             fishery to close in June in 2016 and in                qualifying period of 2008 through 2015
                                                 some history in it, which could impact                  May in 2017, compared to the                           effectively limits the potential for an
                                                 existing participants in the fishery by                 November closure in 2015, which was                    increasingly challenging ‘‘race for fish’’
                                                 further shortening the fishing season                   more typical of previous season lengths.               and the recent growth in the CV sector.
                                                 and increasing the ‘‘race for fish’’ (see               Based on the same factors, NMFS also
                                                 Section 2.7.1.1 of the Analysis for a                   determined that the 2008–2015                          Why are no options needed for new CV
                                                 description of fishing patterns and                     qualifying period best addresses the                   entrants during periods of high BSAI
                                                 seasons).                                               need to reduce fishing pressure and                    TLAS yellowfin sole allocation?
                                                    To dampen the effect of additional or                help to control the pace of fishing
                                                 speculative entry into the BSAI TLAS                    within the fishery.                                       The Council considered a range of
                                                 yellowfin sole directed fishery, the                                                                           options that would have removed the
                                                 Council adopted a control date of                       Why select only one year, not two years,               requirements for CVs to have a BSAI
                                                 October 13, 2015, which was published                   of participation?                                      TLAS yellowfin sole directed fishery
                                                 by NMFS in the Federal Register (80 FR                     In conjunction with its determination               endorsement to deliver to the offshore
                                                 72408, November 19, 2015). Although                     that 2008 through 2015 was the                         sector if the TAC allocated to the BSAI
                                                 control dates are not binding on future                 appropriate qualifying period, the                     TLAS yellowfin sole fishery was above
                                                 Council actions, the Council clearly                    Council also determined that that                      specific amounts (see Sections 2.7.2.2
                                                 indicated when it adopted the control                   qualifying period coupled with one year                and 2.7.2.3 of the Analysis). However,
                                                 date that this control date could be used               for participation would result in an                   the Council concluded, and NMFS
                                                 to limit ‘‘future access to the offshore                adequate number of qualifying                          agrees, that options that would provide
                                                 sector of the BSAI TLAS for yellowfin                   groundfish LLP licenses and CVs to                     for new CV entrants during periods of
                                                 sole.’’ The Council also clearly noted                  prosecute the offshore fishery at a pace               high BSAI TLAS yellowfin sole
                                                 that the control date was intended to                   similar to the pace of the fishery                     allocations are not needed or
                                                 ‘‘promote awareness that the Council                    through 2015. The Council considered
                                                                                                                                                                appropriate. Sections 2.7.2.2 and 2.7.2.3
                                                 may develop a future management                         two options addressing the frequency of
                                                                                                                                                                of the Analysis note that CVs were able
                                                 action,’’ and ‘‘to provide notice to the                qualifying landings in the BSAI TLAS
                                                                                                         yellowfin sole directed fishery during                 to enter the offshore BSAI TLAS
                                                 public that any current or future access
                                                                                                         the qualifying period. One option would                yellowfin sole directed fishery from
                                                 to the offshore sector of the BSAI trawl
                                                 limited access fishery for yellowfin sole               have required qualifying landings to be                2008 through 2015 under a wide range
                                                 may be affected or restricted; and to                   made in any two years during the                       of TACs and market conditions, and
                                                 discourage speculative participation and                qualifying period. The other option                    those CVs that participated in the
                                                 behavior in the fishery while the                       would require qualifying landings to be                fishery during that time period would
                                                 Council considers whether to initiate a                 made in any one year during the                        receive endorsements under this
                                                 management action to further limit                      qualifying period. The one year option                 proposed rule.
                                                 access to the fishery.’’ The selection of               would limit the number of CVs in the                      The Council also determined and
                                                 the 2008 through 2015 qualifying period                 offshore BSAI TLAS yellowfin sole                      NMFS agrees that relieving the limit to
                                                 is consistent with the Council’s clearly                directed fishery to eight. While this                  entry into the offshore BSAI TLAS
                                                 stated policy objectives and the public                 option would allow two more CVs to                     yellowfin sole directed fishery by CVs
                                                 was clearly noticed that catch in 2016                  participate than participated in 2015, it              could exacerbate the conditions that
                                                 may not be considered.                                  would still allow the fishery to be fully
                                                                                                                                                                could lead to a ‘‘race for fish’’ and could
                                                    After the Council established the                    prosecuted without the risk of
                                                                                                         continued increase in harvest pressure                 increase halibut PSC mortality rates in
                                                 control date in 2015, the number of
                                                 participating CVs increased from six in                 that could continue to shorten the                     the fishery. Further, an option for new
                                                 2015 to nine in 2016, which is triple the               fishing season or increase Pacific                     entrants could create difficulties during
                                                 maximum level of CV participation from                  halibut PSC rates. The Council did not                 the annual TAC setting process, as
                                                 2008 through 2014 and nearly four                       choose the two-year requirement,                       eligible CVs and new CV entrants
                                                 times the average level of CV                           because under both qualifying periods it               negotiate a BSAI yellowfin sole TAC
                                                 participation from 2008 through 2014. It                would have substantially limited                       recommendation to the Council each
                                                 is also a 33 percent increase over CV                   participation in a manner that is not                  year. This would complicate the
                                                 participation in 2015. Because the                      reflective of the current harvest patterns             determination of whether there would
                                                 Council identified in 2015 the recent                   in the fishery. Specifically, the two-year             be a directed fishery for new CV
                                                 increase in CVs participating in the                    option would have limited the number                   entrants each year. The Council also
                                                 fishery to be the primary cause of                      of CVs in the offshore BSAI TLAS                       considered the potential for
                                                 shortened fishing seasons and the                       yellowfin sole directed fishery to three               participation in the offshore BSAI TLAS
                                                 resulting ‘‘race for fish,’’ the Council                CVs owned by one company, which                        yellowfin sole directed fishery by CVs
                                                 was concerned that the even greater                     raised some concerns about its                         currently active in the Gulf of Alaska,
                                                 increase in CV participation after 2015                 consistency with National Standard 4.                  but without recent participation in the
                                                 would further shorten the fishing                       Further, this option would have                        BSAI TLAS yellowfin sole fishery.
                                                 season, increasing the risk of a ‘‘race for             excluded at least one historic                         However, the Council determined that it
                                                 fish.’’ The Council considered, but                     participant under both qualifying
                                                                                                                                                                is not necessary to provide fishing
                                                 rejected, ending the qualifying period in               periods, which would not be consistent
                                                                                                                                                                opportunities for these CVs in the BSAI
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                                                 either 2016 or 2017, because the pace of                with the Council’s intent to provide
                                                                                                         continued access and benefits to historic              TLAS yellowfin sole fishery, because
                                                 fishing and harvest pressure increased
                                                 in those years concurrent with the trend                participants. In addition, a more                      these CVs have extensive flatfish
                                                 of increasing CV participation,                         restrictive option is not needed to                    resources in the GOA that have
                                                 including two vessels that participated                 promote conservation. The Council                      remained unharvested. NMFS agrees
                                                 in 2016 and another in 2017 that had                    determined, and NMFS agrees, that                      with the Council’s finding. Therefore,
                                                 never before been used to participate in                requiring a qualifying landing in any                  no such provision is included in this
                                                 the fishery. Those factors caused the                   one qualifying year during the                         proposed action.


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                                                 26244                  Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules

                                                 Why change the BSAI TLAS yellowfin                      participate in the BSAI TLAS yellowfin                    This proposed action would limit the
                                                 sole policy as implemented under the                    sole directed fishery also participate in              number of groundfish LLP licenses and
                                                 Amendment 80 Program?                                   the BSAI TLAS Pacific cod fishery, and                 therefore the number of CVs that could
                                                    As explained earlier, the Council and                a CV that would not receive a BSAI                     be used to harvest BSAI TLAS yellowfin
                                                 NMFS recognized at the time                             TLAS yellowfin sole directed fishery                   sole and deliver that harvest to a
                                                 Amendment 80 was implemented that                       endorsement for its groundfish LLP                     mothership, but it would not assign a
                                                 participation by Amendment 80 vessels                   license under this proposed rule may                   portion of the BSAI TLAS yellowfin sole
                                                 as motherships in the offshore BSAI                     enter or increase its participation in the             TAC for exclusive use by a person. An
                                                                                                         BSAI TLAS Pacific cod fishery. New or                  individual owner of a groundfish LLP
                                                 TLAS yellowfin sole directed fishery
                                                                                                         increased participation in the BSAI                    license that would receive an
                                                 could continue or even increase.
                                                                                                         TLAS Pacific cod fishery would only                    endorsement would not be allocated a
                                                 However, the proportion of the BSAI
                                                                                                         occur if there is a perceived economic                 specific amount of BSAI TLAS
                                                 TLAS yellowfin sole directed fishery
                                                                                                         benefit to doing so. A spillover effect                yellowfin sole that would be for the
                                                 catch now being harvested by CVs that
                                                                                                         into the BSAI TLAS Pacific cod fishery                 owner’s exclusive use. All vessels
                                                 deliver their catch to Amendment 80
                                                                                                         may be more likely when there are                      eligible to participate in the offshore
                                                 vessels operating as motherships is
                                                                                                         fewer CVs that have an LLP license with                BSAI TLAS yellowfin sole directed
                                                 substantially greater than it was at the
                                                                                                         an endorsement to participate in the                   fishery, both CPs and CVs designated on
                                                 time the Amendment 80 Program was
                                                                                                         BSAI TLAS yellowfin sole directed                      groundfish LLP licenses with the
                                                 implemented. The final rule for the                                                                            proposed endorsement, would continue
                                                 Amendment 80 Program (72 FR 52668,                      fishery. This proposed action would
                                                                                                         limit the number of groundfish LLP                     to compete with each other in
                                                 September 14, 2007) notes that only 1                                                                          harvesting the BSAI TLAS yellowfin
                                                 Amendment 80 vessel was receiving                       licenses, and therefore the number of
                                                                                                         CVs, that could be used to harvest BSAI                sole TAC and do not act together as one
                                                 and processing catch delivered from one                                                                        entity. Additionally, although CVs have
                                                 CV in the BSAI Pacific cod fishery prior                TLAS yellowfin sole and deliver to a
                                                                                                         mothership, and any potential spillover                not historically delivered their catch of
                                                 to the implementation of the                                                                                   yellowfin sole to shore-based processing
                                                 Amendment 80 Program. No                                effect into the BSAI TLAS Pacific cod
                                                                                                         fishery would most likely come from                    plants, this proposed action does not
                                                 Amendment 80 vessel was receiving                                                                              preclude CVs from conducting directed
                                                 catch from CVs participating in the                     vessels that have participated in the
                                                                                                         BSAI TLAS yellowfin sole directed                      fishing for BSAI TLAS yellowfin sole
                                                 BSAI yellowfin sole fishery at the time                                                                        and delivering that harvest to shore-
                                                 the Amendment 80 Program was                            fishery, but would be excluded under
                                                                                                         this proposed rule. Under this proposed                based processing plants. This proposed
                                                 implemented in 2008. In 2017, 6                                                                                action does not limit the amount of
                                                 Amendment 80 CPs and one AFA CP                         rule up to eight CVs could participate in
                                                                                                         the BSAI TLAS yellowfin sole directed                  BSAI TLAS yellowfin sole that could be
                                                 operated as motherships in the BSAI                                                                            harvested by a CV designated on a
                                                 TLAS yellowfin sole fishery. However,                   fishery. The maximum number of CVs
                                                                                                         that participated in the fishery from                  groundfish LLP license that has a BSAI
                                                 from 2003 through 2014, no more than                                                                           TLAS yellowfin sole endorsement;
                                                 two CP vessels participated as                          2008 through 2017 is eleven individual
                                                                                                         vessels, with a maximum of nine                        rather, it limits the number of CVs that
                                                 motherships in the BSAI TLAS                                                                                   are eligible to participate in the directed
                                                 yellowfin sole fishery in any one year                  participating in any one year. The
                                                                                                         proposed rule would allow eight vessels                fishery and deliver their harvest to a
                                                 (Section 2.7.1.1 of the Analysis). Section                                                                     mothership. This proposed action does
                                                 2.7.1.1 of the Analysis notes that much                 to participate under groundfish LLP
                                                                                                         licenses endorsed for the fishery. While               not limit CPs participating in the BSAI
                                                 of the increase in participation by CVs                                                                        TLAS yellowfin sole fishery or assign a
                                                 is due to an increase in the number of                  the remaining three vessels could
                                                                                                         increase BSAI TLAS Pacific cod fishery                 portion of the TAC for exclusive use by
                                                 Amendment 80 vessels operating as                                                                              CPs. Finally, NMFS will maintain the
                                                 motherships.                                            participation, they might also decline to
                                                                                                         participate in that fishery if there is no             ability to reallocate BSAI TLAS
                                                    The Council determined, and NMFS                                                                            yellowfin sole TAC to the Amendment
                                                 agrees, that it is appropriate to review                perceived economic benefit. At this time
                                                                                                                                                                80 sector if NMFS determines that it
                                                 the policies adopted for the BSAI TLAS                  it is not possible to predict a definitive
                                                                                                                                                                will go unharvested.
                                                 yellowfin sole directed fishery under                   outcome.
                                                 the Amendment 80 Program and the                                                                               How will this action help reduce halibut
                                                                                                         Does this proposed action constitute a
                                                 fishing operations in that fishery, and                                                                        PSC?
                                                                                                         Limited Access Privilege (LAP) Program?
                                                 take action, if necessary, as fishing                                                                            In fisheries where circumstances
                                                 patterns change from those observed at                     The Council determined during its                   motivate fishermen to race against each
                                                 the time the Amendment 80 Program                       February 2017 meeting, and NMFS                        other to harvest as much fish as they can
                                                 was implemented. As a result, the                       concurs, that this proposed action does                before the annual catch limit or the PSC
                                                 Council concluded, and NMFS agrees, it                  not meet the definition of a LAP                       limit is reached and the fishery closes
                                                 is necessary to limit access by CVs                     Program included in section 303A of the                for the season, participants can have a
                                                 targeting BSAI TLAS yellowfin sole for                  Magnuson-Stevens Act (16 U.S.C.                        substantial disincentive to take actions
                                                 delivery to vessels operating as                        1853a). Section 3 of the Magnuson-                     to reduce bycatch use and waste,
                                                 motherships.                                            Stevens Act (16 U.S.C. 1802) defines a                 particularly if those actions could
                                                                                                         LAP as a Federal permit issued as part                 reduce groundfish catch rates. In a ‘‘race
                                                 How would the proposed action limit                     of a limited access system under section               for fish,’’ participants who choose not to
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                                                 potential adverse impacts in the BSAI                   303A to harvest a quantity of fish                     take actions to reduce bycatch and
                                                 TLAS Pacific cod fishery?                               expressed by a unit or units                           waste stand to gain additional
                                                    The Council had information on, and                  representing a portion of the TAC of the               groundfish catch by continuing to
                                                 heard public testimony about, the                       fishery that may be received or held for               harvest at a higher bycatch rate, at the
                                                 potential impacts of this proposed                      exclusive use by a person and includes                 expense of any vessels engaged in
                                                 action on the BSAI TLAS Pacific cod                     an individual fishing quota but does not               bycatch avoidance. By limiting CV
                                                 fishery. As noted Section 2.7.2.1 of the                include community development                          access to the offshore BSAI TLAS
                                                 Analysis, most of the CVs that                          quotas.                                                yellowfin sole fishery and reducing


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                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                             26245

                                                 pressure to harvest the BSAI TLAS                       BSAI TLAS yellowfin sole directed                      endorsement. Two were the sole
                                                 yellowfin sole TAC quickly, this                        fishery to deliver BSAI TLAS yellowfin                 groundfish LLP license on which a
                                                 proposed action would help to reduce                    sole catch to a mothership. Regulations                vessel that made a qualifying landing
                                                 incentives for a ‘‘race for fish’’ and                  at § 679.2 define a mothership as a                    during the qualifying period was
                                                 provide participating CVs more                          vessel that receives and processes                     designated. Therefore, under this
                                                 flexibility in fishing operations,                      groundfish from other vessels. Under                   proposed rule, those two groundfish
                                                 allowing them to better avoid halibut                   this proposed rule, any vessel that meets              LLP licenses would be credited with a
                                                 PSC.                                                    the mothership definition at § 679.2 or                qualifying landing and receive a BSAI
                                                    Additionally, industry participants                  has a mothership designation on its                    TLAS directed fishery endorsement.
                                                 have testified to the Council that some                 Federal Fishery Permit, including CPs                  The remaining eight eligible groundfish
                                                 companies participating in the BSAI                     and stationary floating processors, will               LLP licenses were each one of two
                                                 TLAS yellowfin sole directed fishery                    be considered a mothership for this                    groundfish LLP licenses designated on a
                                                 reduce halibut mortality in the fishery                 action. For purposes of simplicity, this               vessel that made qualifying landings
                                                 through implementing ‘‘best practices’’                 preamble uses the term ‘‘BSAI TLAS                     during the qualifying period; therefore,
                                                 agreements designed to reduce halibut                   yellowfin sole directed fishery                        those eight groundfish LLP licenses
                                                 mortality. Such testimony indicated that                endorsement’’ to mean an endorsement                   would be eligible to be credited with a
                                                 these agreements have included halibut                  on a groundfish LLP license that would                 qualifying landing and receive an
                                                 mortality target rates, real-time reporting             allow the vessel designated on that LLP                endorsement. For any of those eight
                                                 of locations with high halibut PSC, or                  license to deliver its catch of BSAI                   groundfish LLP licenses to be credited
                                                 informal apportionment of remaining                     TLAS yellowfin sole to a mothership for                with a qualifying landing and receive an
                                                 halibut mortality among vessels fishing                 processing.                                            endorsement, the vessel owner would
                                                 late in the year. Limiting the number of                   Under this proposed action, NMFS                    be required to select one groundfish LLP
                                                 CVs in this fishery may provide a better                would issue a BSAI TLAS yellowfin                      license that NMFS is to credit with all
                                                 opportunity to implement best practices                 sole directed fishery endorsement to a                 qualifying landings made by that vessel.
                                                 agreements, because participation in the                groundfish LLP license with a Bering                   Up to six of those eight groundfish LLP
                                                 fishery would be more stable and                        Sea trawl endorsement if: (1) The                      licenses could be credited with a
                                                 predictable over the long term. That                    groundfish LLP license is credited with                qualifying landing and receive an
                                                 stability and predictability could                      at least one legal trip target landing in              endorsement from NMFS. Therefore,
                                                 facilitate better communication among                   the BSAI TLAS yellowfin sole directed                  NMFS anticipates that a total of eight
                                                 participants. Section 2.7.1.2 of the                    fishery, and (2) the credited legal trip               groundfish LLP licenses could receive a
                                                 Analysis provides additional detail on                  target landing was to a mothership in                  BSAI TLAS yellowfin sole directed
                                                 halibut PSC management practices in                     any one year of the qualifying period                  fishery endorsement under the proposed
                                                 the BSAI TLAS yellowfin sole fishery.                   from 2008 through 2015. If a vessel that               rule, resulting in up to eight vessels that
                                                    Section 3.2.2.1 of the Analysis                      made at least one trip target landing in               could participate in the BSAI TLAS
                                                 concluded that this proposed rule                       the BSAI TLAS directed fishery during                  yellowfin sole directed fishery and
                                                 would not affect annual halibut PSC                     the qualifying period was designated on                deliver their catch to a mothership.
                                                 limits, but does have the potential to                  more than one groundfish LLP license                      This provision would ensure that in
                                                 help participants maintain or reduce                    during the qualifying period, the vessel               cases where a vessel was designated on
                                                 halibut PSC in the BSAI TLAS yellowfin                  owner would be required to select one                  more than one groundfish LLP license
                                                 sole fishery, as described above. While                 groundfish LLP license to receive credit               during the qualifying period when one
                                                 such savings are not guaranteed or                      with the qualifying landings made by                   or more qualifying BSAI TLAS trip
                                                 predictable due to the suite of variables               that vessel during the qualifying period.              target landings were made, only one of
                                                 that can affect halibut PSC and rates in                   Where a vessel that made at least one               those groundfish LLP licenses would be
                                                 this fishery, the proposed action                       trip target landing in the BSAI TLAS                   credited with the qualifying landing(s).
                                                 addresses concerns that increasing entry                directed fishery from 2008 through 2015                Because NMFS does not require vessel
                                                 could make halibut PSC increase, is                     was designated on more than one                        owners and operators to specify how
                                                 expected to maintain halibut PSC at                     groundfish LLP license during the                      specific landings should be credited to
                                                 current levels, and may even create a                   qualifying period, all groundfish LLP                  multiple groundfish LLP licenses on
                                                 management environment in which the                     licenses on which the vessel was                       which the same vessel was designated,
                                                 participants are able to work together to               designated when it was used to make a                  this provision would resolve any
                                                 reduce halibut PSC. Additionally, the                   trip target landing in a BSAI TLAS                     disputes that may arise about the
                                                 Council and NMFS do not expect any                      fishery during the qualifying period                   assignment of specific landings by
                                                 negative effects on halibut from this                   would be eligible to receive credit with               having the vessel owner identify one
                                                 proposed rule because halibut PSC                       the qualifying landings made by the                    groundfish LLP license to credit with
                                                 limits for this fishery would continue to               vessel. However, none of these                         the qualifying landing(s).
                                                 be established each year, and the fishery               groundfish LLP licenses would be                          Any vessel designated on a
                                                 would be closed if NMFS determines                      credited with a qualifying landing and                 groundfish LLP license with a BSAI
                                                 that the halibut PSC limit will be                      receive an endorsement from NMFS                       TLAS yellowfin sole directed fishery
                                                 reached before the yellowfin sole TAC                   until the vessel owner notifies NMFS                   endorsement would be authorized to
                                                 is reached.                                             and identifies which single groundfish                 deliver catch of BSAI TLAS yellowfin
                                                                                                         LLP license is to be credited with the                 sole in the directed fishery to a
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                                                 Proposed Action                                         qualifying landing(s).                                 mothership. This proposed rule would
                                                   This proposed rule would implement                       Based on the information provided in                not preclude a vessel with a BSAI TLAS
                                                 Amendment 116 to the BSAI FMP. This                     the Analysis and the official record,                  yellowfin sole directed fishery
                                                 proposed rule would establish eligibility               NMFS has determined that ten                           endorsement from delivering catch of
                                                 criteria for, and a process to issue, a new             groundfish LLP licenses would be                       yellowfin sole that is harvested in the
                                                 endorsement to groundfish LLP licenses                  eligible to be credited with qualifying                BSAI TLAS yellowfin sole directed
                                                 that would authorize vessels designated                 landing(s) and receive a BSAI TLAS                     fishery to a shore-based processing
                                                 on those licenses and operating in the                  yellowfin sole directed fishery                        plant. This proposed rule also would


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                                                 26246                  Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules

                                                 not preclude a vessel without a BSAI                    Historically, NMFS has used only these                 the vessel owner which groundfish LLP
                                                 TLAS yellowfin sole directed fishery                    two data sources to determine the                      license should be credited with the
                                                 endorsement from delivering incidental                  specific amount and location of                        qualifying landing(s). NMFS proposes to
                                                 catch of yellowfin sole that is caught                  landings, and NMFS proposes to                         list in Table 53 to part 679 the eight
                                                 while participating in other directed                   continue to do so under this action. The               groundfish LLP licenses that would be
                                                 fisheries to a mothership for processing.               official record includes the records of                eligible for, but would not be credited
                                                 For example, a vessel without a BSAI                    specific groundfish LLP licenses,                      with, qualifying landings until
                                                 yellowfin sole directed fishery                         including vessels designated on them,                  notification from the vessel owner is
                                                 endorsement could participate in the                    and other relevant information                         received by NMFS. The proposed
                                                 BSAI TLAS Pacific cod directed fishery                  necessary to credit landings to specific               notification process is described in the
                                                 and deliver its directed catch of Pacific               groundfish LLP licenses. NMFS                          following section.
                                                 cod with its incidental catch of BSAI                   presumes the official record is correct,                  The groundfish LLP licenses
                                                 TLAS yellowfin sole to a mothership,                    and a person wishing to challenge the                  identified in proposed Tables 52 and 53
                                                 provided that the vessel has met all                    presumptions in the official record                    to 50 CFR part 679 represent the
                                                 applicable requirements to participate                  would bear the burden of proof through                 groundfish LLP licenses that NMFS has
                                                 in the BSAI TLAS Pacific cod directed                   an evidentiary and appeals process.                    determined would be eligible for an
                                                 fishery and the incidental catch of BSAI                   In order for a groundfish LLP license               endorsement at this time. Additional
                                                 TLAS yellowfin sole is at or under the                  to receive a BSAI TLAS yellowfin sole                  groundfish LLP licenses may qualify for
                                                 maximum retainable amount (MRA) for                     directed fishery endorsement and be                    an endorsement through the proposed
                                                 yellowfin sole. Finally, this proposed                  authorized to conduct directed fishing                 administrative adjudicative process
                                                 action would not preclude a vessel from                 for BSAI TLAS yellowfin sole and                       described below. NMFS is proposing to
                                                 participating as a CP and processing its                deliver that catch to a mothership,                    list the groundfish LLP licenses it has
                                                 own catch in the BSAI TLAS yellowfin                    NMFS would first have to determine                     determined are eligible to receive the
                                                 sole directed fishery. Under this                       that the groundfish LLP license is an                  BSAI TLAS yellowfin sole directed
                                                 proposed rule a vessel that does not                    eligible license and then would have to                fishery endorsement to help facilitate
                                                 have a BSAI Trawl Limited Access                        determine that the eligible license can                the ability of the public to review their
                                                 Sector yellowfin sole directed fishery                  be credited with one or more qualifying                catch records and determine if
                                                 endorsement would be prohibited from                    landings. Under this proposed rule,                    additional groundfish LLP licenses may
                                                 delivering yellowfin sole harvested with                NMFS would identify as eligible those                  be eligible to receive the endorsement.
                                                 trawl gear in the BSAI Trawl Limited                    groundfish LLP licenses with a Bering                  NMFS specifically requests public
                                                 Access Sector yellowfin sole directed                   Sea trawl endorsement and those                        comment on the groundfish LLP
                                                 fishery to a mothership, as defined at                  vessels using trawl gear operating under               licenses listed in proposed Tables 52
                                                 § 679.2. The following sections of this                 the authority of that groundfish LLP                   and 53 to part 679.
                                                 preamble describe how NMFS proposes                     license when (1) the vessel was used to                   If a holder of a groundfish LLP license
                                                 to determine a trip target landing, credit              make a trip target landing in the BSAI                 believes the groundfish LLP license
                                                 qualifying landings to a groundfish LLP                 TLAS yellowfin sole directed fishery                   would meet the eligibility criteria, but
                                                 license, and issue BSAI TLAS yellowfin                  during any year from 2008 through 2015                 the license is not listed in proposed
                                                 sole directed fishery endorsements.                     and (2) the catch from that trip target                Tables 52 or 53 to part 679, or if a
                                                                                                         landing of BSAI TLAS yellowfin sole                    license holder disagrees with the
                                                 Determining and Crediting Trip Target                   was delivered to a mothership for                      groundfish LLP license to which NMFS
                                                 Landings                                                processing.                                            would assign the BSAI TLAS yellowfin
                                                   NMFS can determine which and how                         Based on the official record, NMFS                  sole directed fishery endorsement, the
                                                 many landings, where landing means                      has identified ten groundfish LLP                      holder would have the opportunity to
                                                 offloading fish (50 CFR 679.2), were                    licenses that would be eligible to be                  challenge NMFS’ determination as
                                                 made by a vessel designated on a                        credited with qualifying landings. Two                 described in the following section of the
                                                 specific groundfish LLP license during a                of these eligible groundfish LLP licenses              preamble.
                                                 particular timeframe. Regulations at 50                 were the sole groundfish LLP license on
                                                 CFR 679.4(k) require an LLP license                     which a given vessel was designated at                 Proposed Process for Issuing BSAI TLAS
                                                 holder to designate a specific vessel on                the time the vessel made qualifying                    Yellowfin Sole Directed Fishery
                                                 which the license will be used. This                    landings of BSAI TLAS yellowfin sole.                  Endorsements
                                                 requirement allows NMFS to credit                       Therefore, NMFS would credit these                        NMFS has determined the groundfish
                                                 landings to a specific LLP license.                     two groundfish LLP licenses with the                   LLP licenses identified in proposed
                                                 NMFS also collects vessel landings data,                qualifying landings under this proposed                Table 52 can be credited with qualifying
                                                 which includes information on the                       rule. NMFS proposes to list these two                  landings based on the official record
                                                 species and amounts landed. From these                  groundfish LLP licenses in Table 52 to                 and would receive a BSAI TLAS
                                                 data, NMFS has created an official                      part 679. The remaining eight eligible                 yellowfin sole endorsement under
                                                 record with all relevant information                    groundfish LLP licenses were not the                   Amendment 116 and this proposed rule.
                                                 necessary to determine legal trip target                sole groundfish LLP license on which a                 If Amendment 116 is approved and this
                                                 landings that can be credited to BSAI                   given vessel was designated at the time                proposed rule is finalized, NMFS would
                                                 groundfish LLP licenses.                                the vessel made at least one trip target               issue a notification of eligibility and a
                                                   The official record created by NMFS                   in the BSAI TLAS fishery during the                    revised groundfish LLP license with a
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                                                 contains vessel landings data and the                   qualifying period. Because this                        BSAI TLAS yellowfin sole directed
                                                 groundfish LLP licenses to which those                  proposed rule would require in such                    fishery endorsement to the holders of
                                                 landings are credited. Evidence of the                  cases that the vessel owner specify one                the groundfish LLP licenses identified
                                                 number and amount of trip target                        groundfish LLP license to receive credit               in proposed Table 52, using the address
                                                 landings of BSAI TLAS yellowfin sole is                 with the qualified landing(s) made by                  on record at the time the notification is
                                                 based on legally submitted NMFS                         that vessel, NMFS would not be able to                 sent.
                                                 weekly production reports for CPs and                   credit these groundfish LLP licenses                      NMFS has determined the groundfish
                                                 State of Alaska fish tickets for CVs.                   until NMFS receives notification from                  LLP licenses identified in proposed


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                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                            26247

                                                 Table 53 are eligible to be credited with               official record. NMFS would provide a                  for a BSAI TLAS yellowfin sole fishery
                                                 qualifying landings based on the official               single, 30-day evidentiary period from                 endorsement. An applicant who was
                                                 record. However, the vessels that made                  the date that notification is sent for a               issued a license the previous year would
                                                 qualifying landings while designated on                 groundfish LLP license holder to submit                be eligible for a non-transferable interim
                                                 these groundfish LLP licenses were                      any information or evidence to                         license pending the resolution of his or
                                                 designated on more than one groundfish                  demonstrate that the information                       her claim pursuant to the license
                                                 LLP license during the qualifying                       contained in the official record is                    renewal provisions of 5 U.S.C. 558. The
                                                 period. Therefore, none of the                          inconsistent with the holder’s records.                non-transferable, interim license would
                                                 groundfish LLP licenses in proposed                        Under this proposed rule, a                         authorize the applicant to deliver BSAI
                                                 Table 53 can be credited with qualifying                groundfish LLP license holder who                      TLAS yellowfin sole to a mothership for
                                                 landings until the owner of the vessel                  submits claims that are inconsistent                   processing and would be effective until
                                                 designated on those groundfish LLP                      with information in the official record                final agency action on the appeal. At
                                                 licenses identifies which groundfish                    would have the burden of proving that                  that time, the person who appealed
                                                 LLP license is to be credited with the                  the submitted claims are correct. NMFS                 would receive either a transferable
                                                 qualifying landings. Under this                         would not accept claims that are                       license with the endorsement or a
                                                 proposed rule, NMFS would mail the                      inconsistent with the official record,                 transferrable license without the
                                                 vessel owner a notification of eligibility              unless they are supported by clear,                    endorsement, depending on the final
                                                 for those groundfish LLP licenses, using                written documentation. NMFS would                      agency action.
                                                 the address on record at the time the                   evaluate all additional information or                    The following provides a brief
                                                 notification is sent. The notice would                  evidence submitted within the 30-day                   summary of the regulatory changes that
                                                 ask the vessel owner to submit to NMFS                  evidentiary period. If NMFS determines                 would be made by this proposed rule.
                                                 a written request to credit the qualifying              that the additional information or                        This proposed rule would add
                                                 landings, in accordance with proposed                   evidence proves that the groundfish LLP                § 679.4(k)(14) to include the provisions
                                                 regulations at § 679.4(k)(14)(v)(F), to one             license holder’s claims are correct,                   that are necessary to qualify for, and
                                                 groundfish LLP license selected by the                  NMFS would amend the official record                   receive, a BSAI TLAS yellowfin sole
                                                 vessel owner from the list of eligible                  in accordance with that information or                 directed fishery endorsement.
                                                                                                         evidence. However, if, after the 30-day                   This proposed rule would add
                                                 groundfish LLP licenses provided by
                                                                                                         evidentiary period, NMFS determines                    § 679.7(i)(11) to prohibit the delivery of
                                                 NMFS in the notice. NMFS would also
                                                                                                         that the additional information or                     yellowfin sole harvested with trawl gear
                                                 send a notification of eligibility to the
                                                                                                         evidence does not prove that the                       in the BSAI TLAS directed fishery to a
                                                 holders of each of those groundfish LLP
                                                                                                         groundfish LLP license holder’s claims                 mothership without a copy of a valid
                                                 licenses identified in proposed Table 53
                                                                                                         were correct, NMFS would deny the                      LLP with a BSAI TLAS yellowfin sole
                                                 using the address on record at the time
                                                                                                         claim. NMFS would notify the applicant                 directed fishery endorsement except as
                                                 the notification is sent. NMFS would
                                                                                                         that the additional information or                     provided in § 679.4(k)(2). Section
                                                 issue a revised groundfish LLP license                                                                         679.4(k)(2) lists the specific conditions
                                                 with a BSAI TLAS yellowfin sole                         evidence did not meet the burden of
                                                                                                         proof to overcome the official record                  under which vessels are not required to
                                                 directed fishery endorsement to the                                                                            be designated on LLP licenses to harvest
                                                 holder of the groundfish LLP license                    through an initial administrative
                                                                                                         determination (IAD).                                   groundfish. None of the vessels
                                                 selected by the vessel owner in the                                                                            currently exempted from the
                                                                                                            NMFS’ IAD would indicate the
                                                 written request to NMFS. NMFS would                                                                            requirements to be designated on an
                                                                                                         deficiencies and discrepancies in the
                                                 also send a notification to the holder of                                                                      LLP license under § 679.4(k)(2)
                                                                                                         information or evidence submitted in
                                                 the groundfish LLP license not selected                 support of the claim. NMFS’ IAD would                  participate in the BSAI TLAS yellowfin
                                                 by the vessel owner to be credited with                 indicate which claims could not be                     sole directed fishery.
                                                 qualifying landings, using the address                  approved based on the available                           This proposed rule would add Table
                                                 on record at the time the notification is               information or evidence, and provide                   52 to part 679 to list those groundfish
                                                 sent, informing the holder that the                     information on how an applicant could                  LLP licenses that NMFS has determined
                                                 groundfish LLP license was not credited                 appeal an IAD. The former procedure                    would be eligible, would be credited
                                                 with a qualifying landing and would not                 for appealing an IAD to the NMFS’                      with qualifying landings, and would
                                                 receive a BSAI TLAS yellowfin sole                      Alaska Office of Administrative Appeals                receive a BSAI TLAS yellowfin sole
                                                 endorsement. NMFS would provide a                       was described at § 679.43. However,                    directed fishery endorsement under this
                                                 single, 30-day evidentiary period from                  NMFS has centralized the appeals                       proposed rule.
                                                 the date that notification is sent for a                process in the National Appeals Office,                   This proposed rule would also add
                                                 groundfish LLP license holder to submit                 which operates out of NMFS’                            Table 53 to part 679. Table 53 would list
                                                 any information or evidence to                          headquarters in Silver Spring, MD. The                 those pairs of groundfish LLP licenses
                                                 demonstrate that the information                        National Appeals Office is now charged                 that NMFS has determined would be
                                                 contained in the official record is                     with processing appeals that were filed                eligible to be credited with qualifying
                                                 inconsistent with the holder’s records.                 with the Office of Administrative                      landings, such that each pair was
                                                    For all those groundfish LLP licenses                Appeals, Alaska Region. The procedure                  designated on the same vessel that made
                                                 with a Bering Sea trawl designation, but                for appealing an IAD through the                       the qualifying landings. Because only
                                                 not listed in either proposed Table 52 or               National Appeals Office is at 15 CFR                   one groundfish LLP license could be
                                                 53, NMFS would notify the holders that                  part 906 (79 FR 7056, February 6, 2014).               credited with the qualifying landings,
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                                                 the groundfish LLP license is not                       During the pendency of an                              the owner of the vessel designated on
                                                 eligible for a BSAI TLAS yellowfin sole                 administrative adjudication leading to a               the pair of groundfish LLP licenses
                                                 directed fishery endorsement based on                   final agency action, NMFS would issue                  would notify NMFS which one
                                                 the official record, using the address on               an interim (temporary, non-transferable)               groundfish LLP license of the pair
                                                 record at the time the notification is                  license to an applicant who was                        should be credited with the qualifying
                                                 sent. NMFS would provide the holder                     authorized to participate in the fishery               landings. Upon receipt of the written
                                                 with an opportunity to submit                           in the year before the IAD is issued and               notification from the vessel owner,
                                                 information to NMFS to rebut the                        who makes a credible claim to eligibility              NMFS would credit the qualifying


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                                                 26248                  Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules

                                                 landings to the one groundfish LLP                      licenses on which the vessel was                       therefore, the total number of directly
                                                 license of the pair selected by the vessel              designated during the qualifying period.               regulated entities may be an
                                                 owner and issue it a BSAI TLAS                          Based on the best available and most                   overestimate because some vessel
                                                 yellowfin sole directed fishery                         recent complete data from 2008 through                 owners and groundfish LLP license
                                                 endorsement.                                            2017, 163 groundfish LLP license                       holders are likely affiliated through
                                                                                                         holders and five vessel owners would be                common ownership. These potential
                                                 Classification                                          directly regulated by this proposed                    affiliations are not known with the best
                                                   Pursuant to sections 304(b) and 305(d)                action.                                                available data and cannot be predicted.
                                                 of the Magnuson-Stevens Act, the NMFS                      For RFA purposes only, NMFS has
                                                 Assistant Administrator has determined                  established a small business size                      Impacts of This Action on Small Entities
                                                 that this proposed rule is consistent                   standard for businesses, including their                  Under this proposed rule, access to
                                                 with Amendment 116, the BSAI FMP,                       affiliates, whose primary industry is                  the BSAI TLAS yellowfin sole directed
                                                 other provisions of the Magnuson-                       commercial fishing (see 50 CFR 200.2).                 fishery by vessels that deliver their
                                                 Stevens Act, and other applicable law,                  A business primarily engaged in                        BSAI TLAS yellowfin sole directed
                                                 subject to further consideration of                     commercial fishing (NAICS code 11411)                  fishery catch to a mothership for
                                                 comments received during the public                     is classified as a small business if it is             processing would be limited to only
                                                 comment period.                                         independently owned and operated, is                   those vessels designated on a groundfish
                                                   This proposed rule has been                           not dominant in its field of operation                 LLP license with a BSAI TLAS
                                                 determined to be not significant for the                (including its affiliates), and has                    yellowfin sole directed fishery
                                                 purposes of Executive Order 12866.                      combined annual receipts not in excess                 endorsement. However, no small
                                                                                                         of $11 million for all its affiliated                  entities would qualify to hold a
                                                 Regulatory Impact Review (RIR)                                                                                 groundfish LLP license with such an
                                                                                                         operations worldwide.
                                                    An RIR was prepared to assess all                       The RFA requires consideration of                   endorsement. None of the nine LLP
                                                 costs and benefits of available regulatory              affiliations between entities for the                  license holders who are considered
                                                 alternatives. A copy of this analysis is                purpose of assessing whether an entity                 small entities regulated under this
                                                 available from NMFS (see ADDRESSES).                    is classified as small. The AFA pollock                proposed rule are expected to be
                                                 The Council recommended Amendment                       and Amendment 80 cooperatives are                      adversely impacted by this proposed
                                                 116 based on those measures that                        types of affiliation between entities. All             rule. Based on a review of fishery data
                                                 maximized net benefits to the Nation.                   of the AFA and Amendment 80                            from 2008 through 2017, none of those
                                                 Specific aspects of the economic                        cooperatives have gross annual revenues                nine groundfish LLP licenses had
                                                 analysis are discussed below in the                     that are substantially greater than $11                designated on it a vessel that delivered
                                                 Initial Regulatory Flexibility Analysis                 million. Therefore, NMFS considers                     BSAI TLAS yellowfin sole directed
                                                 section.                                                members in these cooperatives                          fishery catch to a mothership for
                                                                                                         ‘‘affiliated’’ large (non-small) entities for          processing. This proposed rule would
                                                 Initial Regulatory Flexibility Analysis                                                                        not limit existing delivery patterns by
                                                                                                         RFA purposes.
                                                 (IRFA)                                                     Of the 163 groundfish LLP license                   vessels designated on those nine LLP
                                                    This IRFA was prepared for this                      holders directly regulated by the                      licenses. This proposed rule would limit
                                                 proposed rule, as required by section                   proposed action, 128 were members of                   the future opportunity for the holders of
                                                 603 of the Regulatory Flexibility Act                   an AFA cooperative and 26 were                         these nine LLP licenses to deliver BSAI
                                                 (RFA), to describe why this action is                   members of an Amendment 80                             TLAS yellowfin sole directed fishery
                                                 being proposed; the objectives and legal                cooperative in 2017. Therefore, NMFS                   catch to a mothership for processing.
                                                 basis for the proposed rule; the number                 considers those 154 groundfish LLP                     The lack of any quantitative data on
                                                 of small entities to which the proposed                 license holders to be ‘‘affiliated’’ large             potential future delivery patterns makes
                                                 rule would apply; any projected                         (non-small) entities for RFA purposes.                 it impossible to rigorously assess the
                                                 reporting and recordkeeping                             All of the groundfish LLP licenses with                expected economic impact of limiting
                                                 requirements of the proposed rule; any                  designated vessels that participated in                these nine LLP license holders from
                                                 overlapping, duplicative, or conflicting                the BSAI TLAS yellowfin sole directed                  future deliveries of BSAI TLAS
                                                 Federal rules; and any significant                      fishery and delivered catch to a                       yellowfin sole directed fishery catch to
                                                 alternatives to the proposed rule that                  mothership from 2008 through 2017                      a mothership for processing.
                                                 would accomplish the stated objectives,                 were affiliated with either an AFA or an
                                                 consistent with applicable statutes, and                Amendment 80 cooperative in 2017.                      Description of Significant Alternatives
                                                 that would minimize any significant                     NMFS therefore considers these LLP                     Considered
                                                 adverse economic impacts of the                         license holders to be ‘‘affiliated’’ large                The RFA requires identification of
                                                 proposed rule on small entities.                        (non-small) entities for RFA purposes.                 any significant alternatives to the
                                                 Descriptions of the proposed action, its                The remaining nine groundfish LLP                      proposed rule that accomplish the
                                                 purpose, and the legal basis are                        license holders are not affiliated with                stated objectives of the proposed action,
                                                 contained earlier in this preamble and                  AFA or Amendment 80 cooperatives                       consistent with applicable statutes, and
                                                 are not repeated here.                                  and are assumed to be small entities                   that would minimize any significant
                                                                                                         directly regulated by this action for                  economic impact of the proposed rule
                                                 Number and Description of Small                         purposes of the RFA. All five vessel                   on small entities. The Council
                                                 Entities Regulated by This Proposed                     owners who are considered regulated                    considered a status quo alternative and
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                                                 Action                                                  entities under this proposed rule were                 one action alternative with several
                                                   The directly regulated entities under                 affiliated with either an AFA pollock or               options and suboptions. The
                                                 this proposed rule are (1) holders of                   an Amendment 80 cooperative in 2017.                   combination of options and suboptions
                                                 groundfish LLP licenses that authorize a                Therefore, NMFS considers them                         under the action alternative provided a
                                                 vessel designated on the LLP license to                 ‘‘affiliated’’ large (non-small) entities for          reasonable range of potential alternative
                                                 harvest groundfish using trawl gear in                  RFA purposes. This IRFA assumes that                   approaches to status quo management.
                                                 the Bering Sea and (2) vessel owners                    each vessel owner and each groundfish                     Under the status quo, there would be
                                                 that must choose one of two LLP                         LLP license holder is a unique entity;                 a risk of continued increasing harvest


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                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                                26249

                                                 effort resulting in shorter fishing                     considerations relative to the no action               instructions, searching existing data
                                                 seasons and higher halibut PSC rates.                   alternative (Alternative 1). The                       sources, gathering and maintaining the
                                                 The action alternative would                            proposed rule incorporates the preferred               data needed, and completing and
                                                 accomplish the stated objectives of                     option and suboption under Alternative                 reviewing the collection of information.
                                                 prioritizing a portion of the BSAI TLAS                 2 which would limit access to the                        Public comment is sought regarding
                                                 yellowfin sole TAC for harvest by                       fishery to CVs with qualifying deliveries              (1) whether this proposed collection of
                                                 historic participants that deliver their                to a mothership from 2008 through 2015                 information is necessary for the proper
                                                 catch to motherships for processing and                 in any one year, because that                          performance of the functions of the
                                                 maintaining a steady fishing pace and                   combination would best prevent                         agency, including whether the
                                                 season duration, while minimizing                       increased catcher vessel participation                 information shall have practical utility;
                                                 adverse economic impacts on small                       from reducing the benefits the fishery                 (2) the accuracy of the burden estimate;
                                                 entities and the potential for increasing               provides to historic and recent                        (3) ways to enhance the quality, utility,
                                                 harvest effort that shortens fishing                    participants, mitigate the risk that a                 and clarity of the information to be
                                                 seasons and increases Pacific halibut                   ‘‘race for fish’’ could develop, and help              collected; and (4) ways to minimize the
                                                 PSC rates. The action alternative does                  to maintain the consistently low rates of              burden of the collection of information,
                                                 not affect any sector’s BSAI TLAS                       halibut bycatch in the BSAI TLAS                       including through the use of automated
                                                 yellowfin sole allocation or the BSAI                   yellowfin sole directed fishery.                       collection techniques or other forms of
                                                 TLAS yellowfin sole TAC.                                                                                       information technology. Send comments
                                                    The Council considered a range of                    Federal Rules That May Duplicate,
                                                                                                         Overlapping, or Conflict With the                      on these or any other aspects of the
                                                 dates, varying levels of participation,                                                                        collection of information to NMFS
                                                 and a suite of mechanisms to provide                    Proposed Action
                                                                                                                                                                Alaska Region at the ADDRESSES above,
                                                 greater harvesting and processing                         No duplication, overlap, or conflict                 and by email to OIRA_Submission@
                                                 opportunities for CVs to deliver to                     between this proposed action and                       omb.eop.gov or fax to (202) 395–5806.
                                                 offshore processors during periods of                   existing Federal rules has been                          Notwithstanding any other provision
                                                 high BSAI yellowfin sole TAC. The                       identified.                                            of law, no person is required to respond
                                                 Council recommended the proposed                        Projected Recordkeeping and Reporting                  to, and no person shall be subject to
                                                 combination of dates and participation                  Requirements                                           penalty for failure to comply with, a
                                                 level to relieve the recent increase in                                                                        collection of information subject to the
                                                 harvest pressure and rate and give                         This proposed rule does not add                     requirements of the PRA, unless that
                                                 historic fishery participants sufficient                additional reporting or recordkeeping                  collection of information displays a
                                                 opportunity to harvest and deliver BSAI                 requirements for the vessels that choose               currently valid OMB control number.
                                                 TLAS yellowfin sole to motherships                      to submit an appeal. An appeal process                 All currently approved NOAA
                                                 without increasing the risk of shorter                  exists for LLP license endorsement                     collections of information may be
                                                 fishing seasons and higher Pacific                      issuance. No small entity is subject to                viewed at http://www.cio.noaa.gov/
                                                 halibut PSC rates.                                      reporting requirements that are in                     services_programs/prasubs.html.
                                                    The Council and NMFS considered                      addition to or different from the
                                                 two alternatives. Alternative 1, the no                 requirements that apply to all directly                List of Subjects in 50 CFR Part 679
                                                 action alternative, would not limit                     regulated entities. No unique                            Alaska, Fisheries, Reporting and
                                                 access by catcher vessels to the offshore               professional skills are needed for the                 recordkeeping requirements.
                                                 BSAI TLAS yellowfin sole directed                       LLP license or vessel owners or
                                                                                                                                                                  Dated: May 31, 2018.
                                                 fishery. Alternative 2 would limit access               operators to comply with the reporting
                                                                                                         and recordkeeping requirements                         Samuel D. Rauch, III,
                                                 by CVs to the offshore BSAI TLAS
                                                 yellowfin sole directed fishery.                        associated with this proposed rule. This               Deputy Assistant Administrator for
                                                    Under Alternative 2, two options with                                                                       Regulatory Programs, National Marine
                                                                                                         proposed rule would not implement or
                                                                                                                                                                Fisheries Service.
                                                 four and eight suboptions, respectively,                increase any fees that NMFS collects
                                                 were considered. The suboptions under                                                                            For reasons set out in the preamble,
                                                                                                         from directly regulated entities. The
                                                 Option 1 would limit access to the                                                                             50 CFR part 679 is proposed to be
                                                                                                         Analysis prepared for this action
                                                 fishery to CVs with qualifying deliveries                                                                      amended as follows:
                                                                                                         identifies no operational costs of the
                                                 to a mothership from 2008 through 2015                  endorsement (see ADDRESSES).                           PART 679—FISHERIES OF THE
                                                 in either any one or any two years or                                                                          EXCLUSIVE ECONOMIC ZONE OFF
                                                 from 2008 through 2016 in either any                    Collection-of-Information Requirements
                                                                                                                                                                ALASKA
                                                 one or any two years. Suboptions under                    This proposed rule contains
                                                 Option 2.1 would allow all CVs with                     collection-of-information requirements                 ■ 1. The authority citation for part 679
                                                 BSAI trawl endorsements access to the                   subject to review and approval by the                  continues to read as follows:
                                                 fishery when the TAC assigned to the                    Office of Management and Budget
                                                                                                                                                                  Authority: 16 U.S.C. 773 et seq.; 1801 et
                                                 BSAI TLAS is equal to or greater than                   (OMB) under the Paperwork Reduction                    seq.; 3631 et seq.; Pub. L. 108–447; Pub. L.
                                                 an amount in a range of suboptions from                 Act. These requirements have been                      111–281.
                                                 15,000 mt through 30,000 mt.                            submitted to OMB for approval under a                  ■ 2. In § 679.4, add paragraph (k)(14) to
                                                 Suboptions under Option 2.2 would                       temporary new information collection,                  read as follows:
                                                 limit access to the fishery by CVs that                 to be merged after approval with OMB
                                                 do not meet landings qualifications                     Control Number 0648–0334. The public                   § 679.4   Permits.
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                                                 under Option 1 to a portion of the BSAI                 reporting burden for the collection-of-                *     *    *     *     *
                                                 TLAS yellowfin sole TAC equal to or                     information requirements in this                         (k) * * *
                                                 greater than an amount in a range of                    proposed rule is estimated to average                    (14) Yellowfin sole trawl limited
                                                 suboptions from 15,000 mt through                       two hours per response for a one-time                  access sector (TLAS) directed fishery
                                                 30,000 mt. The combination of options                   Election to Assign Qualifying Landings                 endorsement in the BSAI—(i) General.
                                                 and suboptions under Alternative 2                      to an LLP license and 4 hours per                      In addition to other requirements of this
                                                 provided the Council and NMFS with a                    response to submit an appeal, which                    part, and unless specifically exempted
                                                 broad range of alternative policy                       includes the time for reviewing                        in paragraph (k)(2) of this section, a


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                                                 26250                  Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules

                                                 vessel must be designated on a                             (B) NMFS will credit a groundfish                   specified in (k)(14)(ii)(A)(1) of this
                                                 groundfish LLP license that has a BSAI                  LLP license with a legal trip target                   section.
                                                 TLAS yellowfin sole directed fishery                    landing specified in paragraph                            (1) NMFS will also issue to the owner
                                                 endorsement in order to conduct                         (k)(14)(ii)(A)(1) of this section if that              of the vessel designated on the
                                                 directed fishing for yellowfin sole with                groundfish LLP license was the only                    groundfish LLP licenses in Column A of
                                                 trawl gear in the BSAI Trawl Limited                    groundfish LLP license on which the                    Table 53 a notice of eligibility for the
                                                 Access Sector fishery and deliver the                   vessel was designated from 2008                        two listed groundfish LLP licenses to be
                                                 catch to a mothership as defined at                     through 2015. If a vessel that made at                 credited with a legal trip target landing
                                                 § 679.2. A vessel designated on a                       least one legal trip target landing                    specified in (k)(14)(ii)(A)(1) of this
                                                 groundfish LLP license with trawl and                   specified in paragraph (k)(14)(ii)(A)(1)               section. The notice to the vessel owner
                                                 catcher/processor vessel designations                   of this section was designated on more                 will provide instructions for the vessel
                                                 and a BSAI TLAS yellowfin sole                          than one groundfish LLP license from                   owner to select the one groundfish LLP
                                                 directed fishery endorsement may                        2008 through 2015 and made at least                    license that NMFS is to credit with the
                                                 operate as a catcher vessel and deliver                 one legal trip target landing in a BSAI                legal trip target landing specified in
                                                 its catch of yellowfin sole harvested in                TLAS directed fishery from 2008                        (k)(14)(ii)(A)(1) of this section.
                                                 the directed BSAI TLAS fishery to a                     through 2015, the vessel owner must                       (2) The holder of a groundfish LLP
                                                 mothership, or operate as a catcher/                    notify NMFS which one of those                         license in Column A of Table 53 will
                                                 processor and catch and process its own                 groundfish LLP licenses NMFS is to                     receive a revised groundfish LLP license
                                                 catch in this fishery.                                  credit with the legal trip target                      with a BSAI TLAS yellowfin sole
                                                    (ii) Eligibility requirements for a BSAI             landing(s) specified in paragraph                      directed fishery endorsement if:
                                                 TLAS yellowfin sole directed fishery                    (k)(14)(ii)(A)(1) of this section.                        (i) The owner of the vessel designated
                                                 endorsement.                                               (C) Trip target landings will be                    on the groundfish LLP license requests
                                                                                                         determined based on round weight                       in writing that NMFS credit that
                                                    (A) A groundfish LLP license is
                                                                                                         equivalents.                                           groundfish LLP license with the legal
                                                 eligible to receive a BSAI TLAS
                                                                                                            (iv) Exemptions to BSAI TLAS                        trip target landing specified in
                                                 yellowfin sole directed fishery
                                                                                                         yellowfin sole endorsements. Any vessel                paragraph (k)(14)(ii)(A)(1) of this
                                                 endorsement if the groundfish LLP
                                                                                                         exempted from the License Limitation                   section;
                                                 license:                                                                                                          (ii) The vessel owner, or the
                                                    (1) Had a vessel designated on it, in                Program at paragraph (k)(2) of this
                                                                                                         section is exempted from the                           authorized agent, signs the request;
                                                 any year from 2008 through 2015, that                                                                             (iii) The written request is submitted
                                                 made at least one legal trip target                     requirement to have a BSAI TLAS
                                                                                                         yellowfin sole endorsement to deliver                  to NMFS using one of the following
                                                 landing of yellowfin sole in the BSAI                                                                          methods: Mail at Regional
                                                 TLAS directed fishery to a mothership                   catch of BSAI TLAS yellowfin sole to a
                                                                                                         mothership for processing.                             Administrator, c/o Restricted Access
                                                 as defined at § 679.2 in any one year                                                                          Management Program, NMFS, P.O. Box
                                                 from 2008 through 2015, inclusive,                         (v) BSAI TLAS yellowfin sole
                                                                                                         participation official record.                         21668, Juneau, AK 99802–1668; fax at
                                                 where a trip target is the groundfish                                                                          907–586–7352; or hand delivery or
                                                                                                            (A) The official record will contain all
                                                 species for which the retained amount                                                                          carrier at NMFS, Room 713, 709 West
                                                                                                         information used by the Regional
                                                 of that groundfish species is greater than                                                                     9th Street, Juneau, AK 99801.
                                                                                                         Administrator that is necessary to
                                                 the retained amount of any other                                                                                  (iv) NMFS receives the written request
                                                                                                         administer the requirements described
                                                 groundfish species for that trip;                                                                              and credits the groundfish LLP license
                                                                                                         in paragraph (k)(14) of this section.
                                                    (2) Has a Bering Sea area endorsement                   (B) The official record is presumed to              with the legal trip target landing
                                                 and a trawl gear designation; and                       be correct. A groundfish LLP license                   specified in paragraph (k)(14)(ii)(A)(1)
                                                    (3) Is credited by NMFS with a legal                 holder has the burden to prove                         of this section; and
                                                 trip target landing specified in                        otherwise.                                                (3) The holder of a groundfish LLP
                                                 paragraph (k)(14)(ii)(A)(1) of this                        (C) Only legal landings as defined in               license in Column A of Table 53 that is
                                                 section.                                                § 679.2 and documented on State of                     not selected by the vessel owner will
                                                    (B) If a vessel specified in paragraph               Alaska fish tickets or NMFS weekly                     receive a notice, using the address on
                                                 (k)(14)(ii)(A)(1) of this section was                   production reports will be used to                     record at the time the notification is
                                                 designated on more than one groundfish                  determine legal trip target landings                   sent, informing the holder that the
                                                 LLP license from 2008 through 2015 and                  under paragraph (k)(14)(ii)(A)(1) of this              groundfish LLP license was not selected
                                                 made at least one legal trip target                     section.                                               by the vessel owner, will not be credited
                                                 landing in a BSAI TLAS directed fishery                    (vi) Process for issuing BSAI TLAS                  with a legal trip target landing, and will
                                                 from 2008 through 2015, the vessel                      yellowfin sole endorsements.                           not receive a BSAI TLAS yellowfin sole
                                                 owner must specify to NMFS only one                        (A) NMFS will issue to the holder of                endorsement. The notice will inform the
                                                 of those groundfish LLP licenses to                     each groundfish LLP license endorsed to                holder of the groundfish LLP license of
                                                 receive credit with the legal trip target               use trawl gear in the Bering Sea and                   the timing and process through which
                                                 landing(s) specified in paragraph                       designated in Column A of Table 52 to                  the holder can provide additional
                                                 (k)(14)(ii)(A)(1) of this section.                      this part a notice of eligibility to receive           information or evidence to amend or
                                                    (iii) Explanations for BSAI TLAS                     a BSAI TLAS yellowfin sole directed                    challenge the information in the official
                                                 yellowfin sole directed fishery                         fishery endorsement and a revised                      record of this section as specified in
                                                 endorsement.                                            groundfish LLP license with a BSAI                     paragraphs (k)(14)(ii)(D) and (E) of this
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                                                    (A) NMFS will determine whether a                    TLAS yellowfin sole directed fishery                   section.
                                                 groundfish LLP license is eligible to                   endorsement.                                              (C) NMFS will issue to the holder of
                                                 receive a BSAI TLAS yellowfin sole                         (B) NMFS will issue to the holder of                a groundfish LLP license with a Bering
                                                 directed fishery endorsement under                      each groundfish LLP license endorsed to                Sea trawl designation and that is not
                                                 paragraph (k)(14)(ii) of this section                   use trawl gear in the Bering Sea and                   listed in either proposed Table 52 or 53
                                                 based only on information contained in                  designated in Column A of Table 53 to                  a notice informing that holder that the
                                                 the official record described in                        this part a notice of eligibility to be                groundfish LLP license is not eligible to
                                                 paragraph (k)(14)(v) of this section.                   credited with a legal trip target landing              be credited with a legal trip target


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                                                                        Federal Register / Vol. 83, No. 109 / Wednesday, June 6, 2018 / Proposed Rules                                                                            26251

                                                 landing or receive a BSAI TLAS                          issue a non-transferable interim license                            ■ 5. Add Table 53 to part 679 to read as
                                                 yellowfin sole directed fishery                         that is effective until final agency action                         follows:
                                                 endorsement based on the official                       on the IAD to an applicant who avails
                                                 record, using the address on record at                  himself or herself of the opportunity to                             TABLE 53 TO PART 679—GROUNDFISH
                                                 the time the notification is sent. The                  appeal an IAD and who has a credible                                  LLP LICENSES THAT REQUIRE
                                                 notice specified in paragraph                           claim to eligibility for a BSAI TLAS                                  QUALIFIED LANDINGS ASSIGNMENT
                                                 (k)(14)(ii)(C) will inform the holder of                yellowfin sole endorsement.                                           TO BE ELIGIBLE FOR A BSAI TRAWL
                                                 the groundfish LLP license of the timing                *     *      *     *     *
                                                 and process through which the holder                                                                                          LIMITED ACCESS SECTOR YEL-
                                                                                                         ■ 3. In § 679.7, add paragraph (i)(11) to
                                                 can provide additional information or                                                                                         LOWFIN SOLE DIRECTED FISHERY
                                                                                                         read as follows;
                                                 evidence to amend or challenge the                                                                                            ENDORSEMENT
                                                 information in the official record of this              § 679.7       Prohibitions.                                                [X indicates that Column A applies]
                                                 section, as specified in paragraphs                     *     *     *     *    *                                                         Column A                            Column B
                                                 (k)(14)(ii)(D) and (E) of this section.                   (i) * * *
                                                   (D) The Regional Administrator will                     (11) Prohibitions specific to the BSAI                                                                         The owner of the
                                                 specify by letter a 30-day evidentiary                                                                                                                                   vessel designated
                                                                                                         Trawl Limited Access Sector yellowfin                                                                            on the pair of LLP
                                                 period during which an applicant may                    sole directed fishery. Deliver yellowfin                                                                              licenses in
                                                 provide additional information or                       sole harvested with trawl gear in the                               A single vessel was designated                 Column A must
                                                 evidence to amend or challenge the                                                                                                                                           notify NMFS
                                                                                                                                                                                 on the following pairs of
                                                                                                         BSAI Trawl Limited Access Sector                                        groundfish LLP licenses                          which
                                                 information in the official record. A                   yellowfin sole directed fishery to a                                  during the qualifying period                LLP license from
                                                 person will be limited to one 30-day                                                                                                                                         each pair in
                                                                                                         mothership as defined at § 679.2                                             identified in 50                    Column A is to be
                                                 evidentiary period. Additional                                                                                                 CFR 679.4(k)(14)(ii)(A)(1)
                                                                                                         without a legible copy of a valid                                                                                    credited with
                                                 information or evidence received after                                                                                                                                     qualifying land-
                                                                                                         groundfish LLP license with a BSAI                                                                                 ing(s) under 50
                                                 the 30-day evidentiary period specified                                                                                                                                       CFR 679.4
                                                                                                         Trawl Limited Access Sector yellowfin
                                                 in the letter has expired will not be                                                                                                                                        (k)(14)(vi)(2)
                                                                                                         sole directed fishery endorsement,
                                                 considered for purposes of the initial
                                                                                                         except as provided in § 679.4(k)(2).                                LLG   3838   and   LLG   2702   ..........           X
                                                 administrative determination (IAD).
                                                                                                         *     *     *     *    *                                            LLG   3902   and   LLG   3826   ..........           X
                                                   (E) The Regional Administrator will
                                                                                                                                                                             LLG   3714   and   LLG   1667   ..........           X
                                                 prepare and send an IAD to the                          ■ 4. Add Table 52 to part 679 to read as
                                                                                                                                                                             LLG   1820   and   LLG   3741   ..........           X
                                                 applicant following the expiration of the               follows:                                                            LLG   3741   and   LLG   3714   ..........           X
                                                 30-day evidentiary period, if the
                                                 Regional Administrator determines that                   TABLE 52 TO PART 679—GROUNDFISH                                    [FR Doc. 2018–12034 Filed 6–5–18; 8:45 am]
                                                 the information or evidence provided by                   LLP LICENSES ELIGIBLE FOR A BSAI                                  BILLING CODE 3510–22–P
                                                 the person fails to support the person’s                  TRAWL LIMITED ACCESS SECTOR
                                                 claims and is insufficient to rebut the                   YELLOWFIN SOLE DIRECTED FISH-
                                                 presumption that the official record is                   ERY ENDORSEMENT
                                                 correct, or if the additional information,                      [X indicates that Column A applies]
                                                 evidence, or revised application is not
                                                 provided within the time period                                       Column A                            Column B
                                                 specified in the letter that notifies the
                                                                                                                                                        Is eligible under
                                                 applicant of his or her 30-day                                                                              50 CFR
                                                 evidentiary period. The IAD will                                                                      679.4(k)(14)(ii) to
                                                                                                                                                        be assigned an
                                                 indicate the deficiencies with the                            The Holder of Groundfish                Endorsement for
                                                 information or evidence submitted. The                            License Number                        the BSAI Trawl
                                                 IAD will also indicate which claims                                                                     Limited Access
                                                                                                                                                       Sector Yellowfin
                                                 cannot be approved based on the                                                                           Sole Fishery
                                                 available information or evidence. A
                                                 person who receives an IAD may appeal                   LLG 3944 ..................................           X
                                                                                                         LLG 2913 ..................................           X
                                                 pursuant to 15 CFR part 906. NMFS will
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Document Created: 2018-06-06 00:53:54
Document Modified: 2018-06-06 00:53:54
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule; request for comments.
DatesSubmit comments on or before July 6, 2018.
ContactBridget Mansfield, 907-586-7228 or [email protected]
FR Citation83 FR 26237 
RIN Number0648-BH02
CFR AssociatedAlaska; Fisheries and Reporting and Recordkeeping Requirements

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