83_FR_35204 83 FR 35062 - Endangered and Threatened Wildlife and Plants: Final Rulemaking To Designate Critical Habitat for the Main Hawaiian Islands Insular False Killer Whale Distinct Population Segment

83 FR 35062 - Endangered and Threatened Wildlife and Plants: Final Rulemaking To Designate Critical Habitat for the Main Hawaiian Islands Insular False Killer Whale Distinct Population Segment

DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration

Federal Register Volume 83, Issue 142 (July 24, 2018)

Page Range35062-35095
FR Document2018-15500

We, NMFS, issue a final rule to designate critical habitat for the Main Hawaiian Islands (MHI) insular false killer whale (IFKW) (Pseudorca crassidens) distinct population segment (DPS) by designating waters from the 45-meter (m) depth contour to the 3,200-m depth contour around the main Hawaiian Islands from Niihau east to Hawaii, pursuant to section 4 of the Endangered Species Act (ESA). We have excluded 14 areas (one area, with two sites, for the Bureau of Ocean Energy Management (BOEM) and 13 areas requested by the Navy) from the critical habitat designation because we have determined that the benefits of exclusion outweigh the benefits of inclusion, and exclusion will not result in extinction of the species. Additionally, the Ewa Training Minefield and the Naval Defensive Sea Area are precluded from designation under section 4(a)(3) ofthe ESA because they are managed under the Joint Base Pearl Harbor-Hickam Integrated Natural Resource Management Plan that we find provides a benefit to the MHI IFKW.

Federal Register, Volume 83 Issue 142 (Tuesday, July 24, 2018)
[Federal Register Volume 83, Number 142 (Tuesday, July 24, 2018)]
[Rules and Regulations]
[Pages 35062-35095]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-15500]



[[Page 35061]]

Vol. 83

Tuesday,

No. 142

July 24, 2018

Part II





 Department of Commerce





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 National Oceanic and Atmospheric Administration





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50 CFR Parts 224 and 226





 Endangered and Threatened Wildlife and Plants: Final Rulemaking To 
Designate Critical Habitat for the Main Hawaiian Islands Insular False 
Killer Whale Distinct Population Segment; Final Rule

Federal Register / Vol. 83 , No. 142 / Tuesday, July 24, 2018 / Rules 
and Regulations

[[Page 35062]]


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DEPARTMENT OF COMMERCE

National Oceanic and Atmospheric Administration

50 CFR Parts 224 and 226

[Docket No. 120815341-8396-02]
RIN 0648-BC45


Endangered and Threatened Wildlife and Plants: Final Rulemaking 
To Designate Critical Habitat for the Main Hawaiian Islands Insular 
False Killer Whale Distinct Population Segment

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

ACTION: Final rule.

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SUMMARY: We, NMFS, issue a final rule to designate critical habitat for 
the Main Hawaiian Islands (MHI) insular false killer whale (IFKW) 
(Pseudorca crassidens) distinct population segment (DPS) by designating 
waters from the 45-meter (m) depth contour to the 3,200-m depth contour 
around the main Hawaiian Islands from Niihau east to Hawaii, pursuant 
to section 4 of the Endangered Species Act (ESA). We have excluded 14 
areas (one area, with two sites, for the Bureau of Ocean Energy 
Management (BOEM) and 13 areas requested by the Navy) from the critical 
habitat designation because we have determined that the benefits of 
exclusion outweigh the benefits of inclusion, and exclusion will not 
result in extinction of the species. Additionally, the Ewa Training 
Minefield and the Naval Defensive Sea Area are precluded from 
designation under section 4(a)(3) ofthe ESA because they are managed 
under the Joint Base Pearl Harbor-Hickam Integrated Natural Resource 
Management Plan that we find provides a benefit to the MHI IFKW.

DATES: This rule becomes effective August 23, 2018.

ADDRESSES: The final rule, maps, and other supporting documents 
(Economic Report, ESA Section 4(b)(2) Report, and Biological Report) 
can be found on the NMFS Pacific Island Region's website at http://www.fpir.noaa.gov/PRD/prd_mhi_false_killer_whale.html#critical_habitat.

FOR FURTHER INFORMATION CONTACT: Susan Pultz, NMFS, Pacific Islands 
Region, Chief, Conservation Planning and Rulemaking Branch, (808) 725-
5150; or Lisa Manning, NMFS, Office of Protected Resources (301) 427-
8466.

SUPPLEMENTARY INFORMATION:

Background

    On December 28, 2012, the listing of the MHI IFKW (Pseudorca 
crassidens) DPS as endangered throughout its range under the ESA became 
effective. The listing cited the population's high extinction risk and 
insufficient conservation efforts in place to reduce that risk (77 FR 
70915; November 28, 2012). With approximately 150 individuals, small 
population size and incidental take (hooking or entanglements) in 
commercial and recreational fisheries are the highest threats to this 
DPS. However, other medium-level threats such as environmental 
contaminants, competition with fisheries for food, effects from climate 
change, and acoustic disturbance may also play a role in impeding 
recovery (NMFS 2016). Under section 4 of the ESA, critical habitat 
shall be specified to the maximum extent prudent and determinable at 
the time a species is listed as threatened or endangered (16 U.S.C. 
1533(b)(6)(C)). In the final listing rule, we stated that critical 
habitat was not determinable at the time of the listing, because 
sufficient information was not currently available on the geographical 
area occupied by the species, the physical and biological features 
essential to conservation, and the impacts of the designation (77 FR 
70915; November 28, 2012). Under section 4 of the ESA, if critical 
habitat is not determinable at the time of listing, a final critical 
habitat designation must be published 1 year after listing (16 U.S.C. 
1533(b)(6)(C)(ii)). The Natural Resources Defense Council filed a 
complaint in July 2016 with the U.S. District Court for the District of 
Columbia seeking an order to compel NMFS to designate critical habitat 
for the MHI IFKW DPS, and a court-approved settlement agreement was 
filed on January 24, 2017 (Natural Resources Defense Council, Inc. v. 
Penny Pritzker, National Marine Fisheries Services, 1:16-cv-1442 
(D.D.C.)). The settlement agreement stipulated that NMFS will submit 
the final rule to the Office of the Federal Register by July 1, 2018.
    Based on the recommendations provided in the Draft Biological 
Report, the initial Regulatory Flexibility Analysis (RFA) and ESA 
section 4(b)(2) analysis (which considers exclusions to critical 
habitat based on economic, national security and other relevant 
impacts), we published a proposed rule on November 3, 2017 (82 FR 
51186) to designate waters from the 45-m depth contour to the 3,200-m 
depth contour around the main Hawaiian Islands from Niihau east to 
Hawaii, with some exceptions, as MHI IFKW critical habitat. In 
accordance with the definition of critical habitat under the ESA, this 
area contained physical or biological features essential to 
conservation of the species and which may require special management 
considerations or protections. The proposed rule included background 
information on MHI IFKW biology and habitat use, which is not included 
here but the reader may access by referring to the proposed rule (82 FR 
51186; November 3, 2017).
    In the proposed rule, we described the physical or biological 
features essential to the conservation of MHI IFKWs as (1) island-
associated marine habitat for MHI IFKWs; (2) prey species of sufficient 
quantity, quality, and availability to support individual growth, 
reproduction, and development, as well as overall population growth; 
(3) waters free of pollutants of a type and amount harmful to MHI 
IFKWs, and (4) habitat free of anthropogenic noise that would 
significantly impair the value of the habitat for false killer whale 
use or occupancy. We requested public comments through January 2, 2018. 
For a complete description of our proposed action, including the 
natural history of the MHI IKFW, we refer the reader to the proposed 
rule (82 FR 51186; November 3, 2017).

Statutory and Regulatory Background for Critical Habitat

    The ESA defines critical habitat under section 3(5)(A) as (i) the 
specific areas within the geographical area occupied by the species, at 
the time it is listed, on which are found those physical or biological 
features (1) essential to the conservation of the species and (2) which 
may require special management considerations or protection; and (ii) 
specific areas outside the geographical area occupied by the species at 
the time it is listed upon a determination by the Secretary that such 
areas are essential for the conservation of the species. (16 U.S.C. 
1532(5)(A)). Conservation is defined in section 3(3) of the ESA as: To 
use, and the use of, all methods and procedures which are necessary to 
bring any endangered species or threatened species to the point at 
which the measures provided pursuant to this Act are no longer 
necessary (16 U.S.C. 1532(3)). Section 3(5)(C) of the ESA provides that 
except in those circumstances determined by the Secretary, critical 
habitat shall not include the entire geographical area which can be 
occupied by the threatened or endangered species.

[[Page 35063]]

    Section 4(a)(3)(B) prohibits designating as critical habitat any 
lands or other geographical areas owned or controlled by the Department 
of Defense (DOD) or designated for its use, that are subject to an 
Integrated Natural Resources Management Plan (INRMP) prepared under 
section 101 of the Sikes Act (16 U.S.C. 670a), if the Secretary 
determines in writing that such plan provides a benefit to the species, 
and its habitat, for which critical habitat is proposed for 
designation.
    Section 4(b)(2) of the ESA requires us to designate critical 
habitat for threatened and endangered species on the basis of the best 
scientific data available and after taking into consideration the 
economic impact, the impact on national security, and any other 
relevant impact, of specifying any particular area as critical habitat. 
This section also grants the Secretary of Commerce (Secretary) 
discretion to exclude any area from critical habitat upon determining 
that the benefits of such exclusion outweigh the benefits of specifying 
such area as part of the critical habitat. However, the Secretary may 
not exclude areas if this will result in the extinction of the species. 
Our regulations provide that critical habitat shall not be designated 
within foreign countries or in other areas outside U.S. jurisdiction 
(50 CFR 424.12(g)). Once critical habitat is designated, section 
7(a)(2) of the ESA requires Federal agencies to ensure that actions 
they fund, authorize, or carry out are not likely to destroy or 
adversely modify that habitat (16 U.S.C. 1536(a)(2)). This requirement 
is in addition to the section 7(a)(2) requirement that Federal agencies 
ensure their actions are not likely to jeopardize the continued 
existence of ESA-listed species. Specifying the geographic location of 
critical habitat also facilitates implementation of section 7(a)(1) of 
the ESA by identifying areas where Federal agencies can focus their 
conservation programs and use their authorities to further the purposes 
of the ESA. Critical habitat requirements do not apply to citizens 
engaged in actions on private land that do not involve a Federal 
agency. However, designating critical habitat can help focus the 
efforts of other conservation partners (e.g., State and local 
governments, individuals, and nongovernmental organizations).

Summary of Changes From the Proposed Rule

    After considering public comments received and the best scientific 
information available, we have made the following changes: (1) We have 
combined the four proposed features into a single essential feature 
with four characteristics that describe how island-associated marine 
habitat is essential to MHI IFKWs; and (2) we have excluded under 
section 4(b)(2) the Kaulakahi Channel portion of Warning area 186, the 
area north of Molokai, the reduced Alenuihaha Channel, the Hawaii Area 
Tracking System, and the Kahoolawe Training Minefield due to national 
security impacts.

Single Essential Feature

    In the proposed rule we identified four features that are essential 
to MHI IFKWs: Island-associated habitat, prey, water quality, and 
sound. We received public comments that questioned the clarity of some 
of these features, and whether certain features were sufficiently 
described to meet the definition of critical habitat. For example, one 
comment criticized the feature, island-associated marine habitat for 
MHI IFKWs, because it lacks objective parameters that warrant special 
management considerations or protections. The commenter requested more 
clarity on or removal of this feature.
    After review of this comment and other comments, we recognize the 
interdependence of movement and space, prey, sound, and water quality 
characteristics in identifying island-associated habitat that is 
essential to the conservation of the species because these habitat 
characteristics collectively support important life history functions, 
such as foraging and reproduction, which are essential for this 
population's conservation. Indeed, MHI IFKWs are an island-associated 
population of false killer whales with their range restricted to the 
shelf and slope habitat around the MHI, unlike pelagic false killer 
whales found more in open oceans. Because these habitat characteristics 
are important components to the ecology of these whales, we have 
reorganized the essential features in the proposed rule into a single 
feature, island-associated marine habitat for MHI IFKWs, with four 
characteristics that support this feature. The four characteristics 
include (1) adequate space for movement and use within shelf and slope 
habitat; (2) prey species of sufficient quantity, quality, and 
availability to support individual growth, reproduction, and 
development, as well as overall population growth; (3) waters free of 
pollutants of a type and amount harmful to MHI IFKWs; and (4) sound 
levels that will not significantly impair false killer whales' use or 
occupancy (see the Physical and Biological Features section below for 
full descriptions).
    The first characteristic, adequate space for movement and use 
within shelf and slope habitat, is used to describe, in part, the 
``island-associated marine habitat'' feature in the proposed rule. We 
have highlighted this as a characteristic of the island-associated 
habitat for this final rule in response to comments that requested 
clarity on the special management considerations for this feature. 
Under the description of this feature, we note the importance of 
supporting these whales' ability to move to, from, and around areas of 
concentrated (high) use and provide details about how activities, such 
as large-scale construction or noise, may act as barriers to movement 
for these whales within their restricted range.
    Characteristics 2 and 3, prey and water quality, have not 
materially changed from the proposed rule; however, we do provide more 
information in our description in the Physical and Biological Features 
Essential for Conservation section of this final rule and in the 
Biological Report about factors that influence these characteristics. 
For example, we have used information provided in the Biological Report 
under diet to provide additional detail about the specific types of 
prey species that these whales are known to eat (NMFS 2017b). 
Additionally, we have provided more information about factors that 
threaten prey and water quality in these descriptions.
    In the proposed rule we solicited comments on the feature ``habitat 
free of anthropogenic noise that would significantly impair the value 
of the habitat for MHI IFKW use or occupancy.'' We received multiple 
comments that suggested removing this feature for the following 
reasons: The effects of noise on IFKWs are already considered under the 
jeopardy standard analysis; the absence of noise is not a feature of 
the habitat, there is not sufficient scientific justification for the 
feature, and the management of this feature is not clearly described.
    As odontocetes, these whales rely on their ability to receive and 
interpret sound within their environment in order to forage, travel, 
and communicate with one another. Accordingly, island-associated 
habitat must be capable of supporting MHI IFKWs' ability to do so. 
While noise has the potential to affect individual whales in a manner 
that may have biological significance (i.e., to result in a ``take'' by 
harassment, injury, or otherwise), scientific information also 
indicates that the introduction of a permanent or chronic noise source 
can degrade the value of habitat by interfering with the sound-reliant

[[Page 35064]]

animal's ability to gain benefits from that habitat, impeding 
reproduction, foraging, or communication (i.e., altering the 
conservation value of the habitat). This reliance on sound, combined 
with the whales' adaptation to a restricted range, make sound an 
important characteristic of island-associated habitat. Thus, it is 
appropriate to consider how chronic and persistent noise sources may 
alter the value of that habitat and manage for it.
    To clarify how sound as a characteristic of habitat supports these 
whales and should be managed for this designation, we have revised the 
language of this characteristic to ``sound levels that would not 
significantly impair MHI IFKW's use or occupancy.'' For this 
characteristic we describe the importance of sound in this populations' 
ecology and describe how noise sources may alter the value of their 
habitat. After considering public comments, we recognize that the mere 
presence of noise in the environment--even noise that might result in 
harassment--does not necessarily result in adverse modification of 
critical habitat. Rather, chronic exposure to noise as well as 
persistent noise may impede the population's ability to use the habitat 
for foraging, navigating, and communicating, and may deter MHI IFKWs 
from using the habitat entirely (see also our response to Comment 6 and 
the Physical and Biological Features Essential for Conservation section 
of this rule).

Additional National Security Exclusions

    In the proposed rule we noted that we would be considering six 
additional requests submitted by the Navy, which were subsets of a 
larger area that the Navy initially requested for exclusion, but which 
NMFS determined should not be excluded under 4(b)(2). We reviewed these 
six areas along with four additional areas requested by the Navy 
consistent with the criteria reviewed for all other areas considered 
for national security exclusion for this rule.
    For the Kaulakahi Channel Portion of W-186, the area north of 
Molokai, a reduced portion of the Alenuihaha Channel, the Hawaii Area 
Tracking System, and the Kahoolawe Training Minefield (NMFS 2018b), we 
find that the benefits of exclusion for national security outweigh the 
benefit of designating MHI IFKW critical habitat. On June 22, 2017, the 
Navy requested exclusion of each of these areas as a subset of a larger 
``Entire Area.'' The Navy also identified the area north of Molokai for 
exclusion as a subset of the ``four islands region,'' and the 
Alenuihaha Channel as a portion of the ``waters surrounding the Island 
of Hawaii'' exclusion request. NMFS initially proposed not to exclude 
these areas as included in the larger units (DON 2017a, as referenced 
in NMFS 2017b). We have now reevaluated these geographically limited 
portions of the initial request in response to information submitted by 
the Navy on October 10, 2017, along with the Navy's supplemental 
information limiting the geographic scope of their request to exclude 
Alenuihaha Channel. Although the June 22, 2017 request provided a full 
description of the defense activities in all of these areas, the Navy's 
supplemental submissions helped improve our understanding of the 
geographic scope of the particular impacts to national security. For 
example, the Navy clarified that the Channel Portion of the W-186 area 
is used to support military activities occurring on the Pacific Missile 
Range Facility (PMRF) Offshore Areas and that the area north of Molokai 
provides unique bathymetry that supports the Submarine Command Course 
(DON 2017b, DON 2018). Supplemental information also identified the 
unique training capabilities provided by the bathymetry of the Hawaii 
Area Tracking System and the instrumentation found within the Kahoolawe 
Training Minefield, which support military readiness. Additionally, 
with respect to the Alenuihaha Channel, our exclusion decision is 
limited to the deeper areas of the Channel that support Undersea 
Warfare training exercises; these waters include approximately 2,609 
square kilometers (km\2\) (1,007 square miles (mi\2\)) of the 4,381 
km\2\ (1691 mi\2\) area identified in the proposed rule. In light of 
our improved understanding of the defense activities conducted and the 
reduced size of the requested exclusions, we now conclude that the 
benefits of exclusion outweigh the benefits of designating critical 
habitat, and that granting these exclusions will not result in 
extinction of the species. The Kaulakahi Channel Portion of W-186 area 
overlapped with approximately 1,631 km\2\ (630 mi\2\) or approximately 
3 percent of the area that was proposed for designation, the area north 
of Molokai overlapped with approximately 596 km\2\ (230 mi\2\) or 
approximately one percent of the area that was proposed for 
designation, and the Alenuihaha Channel overlapped with approximately 
2,609 km\2\ (866 mi\2\) or approximately 5 percent of the area that was 
proposed for designation. The Hawaii Area Tracking System overlaps with 
about 96 km\2\ (37mi\2\) or about 0.2 percent of the area that was 
proposed for designation, and the Kahoolawe Training Minefield overlaps 
with about 12 km\2\ (5 mi\2\) or about 0.02 percent of the area that 
was proposed for designation. These overlap a small area of low-use and 
lower traveled MHI IFKW habitat.
    For the other three areas identified in the Navy's October 10, 2017 
request, as well as two additional areas identified by the Navy on 
February 8, 2018, we find that the benefits of designating critical 
habitat for MHI IFKWs outweigh the benefits of excluding these areas. 
The National Security Impacts section of this rule provides a detailed 
summary of our weighing process for all areas, and the full analysis 
can be found in the ESA Section 4(b)(2) Report (NMFS 2018b).
    Thus, given these changes, in total we have excluded 14 areas (one 
area, with two sites, for BOEM and 13 areas requested by the Navy from 
the critical habitat designation because we have determined that the 
benefits of exclusion outweigh the benefits of inclusion, and exclusion 
will not result in extinction of the species. The excluded areas are: 
(1) The BOEM Call Area offshore of the Island of Oahu (which includes 
two sites, one off Kaena point and one off the south shore); (2) the 
Navy Pacific Missile Range Facility's Offshore ranges (including the 
Shallow Water Training Range (SWTR), the Barking Sands Tactical 
Underwater Range (BARSTUR), and the Barking Sands Underwater Range 
Extension (BSURE; west of Kauai)); (3) the Navy Kingfisher Range 
(northeast of Niihau); (4) Warning Area 188 (west of Kauai); (5) Kaula 
Island and Warning Area 187 (surrounding Kaula Island); (6) the Navy 
Fleet Operational Readiness Accuracy Check Site (FORACS) (west of 
Oahu); (7) the Navy Shipboard Electronic Systems Evaluation Facility 
(SESEF) (west of Oahu); (8) Warning Areas 196 and 191 (south of Oahu); 
(9) Warning Areas 193 and 194 (south of Oahu); (10) the Kaulakahi 
Channel portion of Warning area 186 (the channel between Niihau and 
Kauai and extending east); (11) the area north of Molokai; (12) the 
Alenuihaha Channel, (13) the Hawaii Area Tracking System, and (14) the 
Kahoolawe Training Minefield. In addition, the Ewa Training Minefield 
and the Naval Defensive Sea Area are precluded from designation under 
section 4(a)(3) of the ESA because they are managed under the Joint 
Base Pearl Harbor-Hickam Integrated Natural Resource Management Plan 
that we find provides a benefit to the MHI IFKW.

[[Page 35065]]

Summary of Comments and Response

    We requested comments on the proposed rule to designate critical 
habitat for the MHI IFKW and associated supporting reports as described 
above. We received 26 individual submissions in response to that 
request. We have considered all public comments, and provide responses 
to all significant issues raised by commenters that are relevant to the 
proposed designation of MHI IFKW critical habitat. We have not 
responded to comments or concerns outside the scope of this rulemaking, 
including comments disagreeing with the listing of this DPS as 
endangered, or recommendations regarding broad ESA policy issues.

Special Management Considerations or Protections

    Comment 1: We received comments suggesting that major threats to 
this DPS were not adequately addressed in the proposed designation 
including threats associated with longline factory fishing boats, water 
pollution, and noise pollution. Some commenters noted that the proposal 
did not mention the threat posed by biannual Rim of the Pacific 
(RIMPAC) exercises conducted by the Department of Defense. One 
commenter suggested that RIMPAC exercises should not be allowed to 
occur in the proposed critical habitat.
    Response: The Special Management Considerations or Protection 
section of the Draft and Final Biological Reports (NMFS 2017a, 2018a) 
provides information about the types of activities that raise 
significant habitat-based threats, and the special management 
considerations or protections that may be necessary to manage or 
protect the feature and its characteristics, essential to the 
conservation of MHI IFKWs. Water pollution, noise pollution, and 
reductions in prey or habitat were among the threats discussed. This 
section of the reports also identifies seven categories of activities 
with a Federal nexus (i.e., a project that is authorized, funded, or 
carried out by a Federal agency) that may have the potential to 
contribute to these habitat threats and that are subject to the ESA 
section 7 consultation process. Specifically, we discussed fisheries, 
activities that contribute to water pollution, and military activities, 
and how these activities may impact available prey resources, water 
quality, or sound levels in the marine environment.
    We note that federally managed longline fisheries (including the 
deep-set and shallow-set fisheries) are currently not considered a 
``major'' threat to this DPS or their habitat. As noted in the MHI IFKW 
Recovery Outline (NMFS 2016a), which categorizes the significance of 
threats to this DPS from low to high, the threat of incidental take 
(e.g., entanglements or hookings) in federally-managed longline 
fisheries is considered low because about 95 percent of the DPS' range 
is within the Main Hawaiian Islands Longline Fishing Prohibited Area 
that surrounds the MHI (NMFS 2016a; See 50 CFR 229.37(d)). Further, we 
note that fishery interactions, such as entanglements and hooking, are 
considered a threat to the individual animals themselves and not the 
habitat. Such threats are properly analyzed under the jeopardy analysis 
conducted during the section 7 consultation process.
    We note that reductions in prey are described as a medium threat, 
with several fisheries potentially contributing to this risk. In the 
Draft Biological Report we reviewed the sustainability of stocks that 
are targeted by the federally managed longline fisheries and that are 
known IFKW prey species. Current information, although incomplete, 
suggests that these stocks are sustainably managed and that additional 
management is not necessary to conserve prey species (NMFS 2018). 
However, we also note in the Draft and Final Biological Report that, as 
new information becomes available regarding MHI IFKW dietary needs or 
the sustainability of overlapping fish stocks, additional management 
measures may be taken in the future to ensure that MHI IFKW critical 
habitat is not adversely modified.
    With regard to water pollution, we have included water quality as a 
characteristic of MHI IFKW critical habitat because pollutants in 
marine waters of the island-associated habitat affect the quality of 
prey for this DPS and can create environments in which these whales are 
at higher risk of disease. The Draft and Final Biological Reports 
discuss water quality threats to MHI IFKW habitat under the Activities 
that Contribute to Water Pollution section, and discuss activities that 
may reduce water or prey quality by increasing persistent organic 
pollutants (POP) or other chemicals of emerging concern, heavy metals, 
pathogens, or naturally occurring toxins in Hawaii's surrounding waters 
(NMFS 2017a, 2018a). Although we have not identified additional 
management measures beyond the existing protections already granted 
from other regulations (e.g., the Clean Water Act), we note that 
special management considerations may be necessary in the future, and 
that a project's specific details, such as discharge location, chemical 
or biological composition, frequency, duration, and concentration, will 
help determine necessary conservation measures.
    With regard to military activities, the Draft Biological Report 
indicated that a wide variety of activities were covered by this 
category including training, construction, and research activities 
undertaken by the Department of Defense. We have revised the Final 
Biological Report to clarify that RIMPAC exercises are included among 
the military training exercises considered under this category. The 
report notes that many of the military exercises in the Hawaii Range 
Complex are subject to a five-year MMPA authorization for the 
incidental take of marine mammals, which is subject to the consultation 
requirements of the ESA. These five-year reviews include the 
consideration of exercises that are undertaken during biannual RIMPAC 
events.
    With regard to the comment that we should not allow RIMPAC to occur 
in critical habitat, we note that a critical habitat designation does 
not restrict activities from occurring in critical habitat; it is only 
during the section 7 consultation process that effects on critical 
habitat are determined and additional conservation and management 
measures are considered, as appropriate.
    Comment 2: BOEM commented that the characterization of offshore 
energy projects as a threat to the physical and biological features of 
critical habitat is not supported by information in the rule or 
supporting documents, and that NMFS was inconsistent in describing the 
relative risk of activities that are identified as possibly threatening 
habitat features compared with other activities. BOEM's comment noted 
that, despite threats from specific energy-related development being 
described as either uncertain or already managed under existing 
regulatory protections, the Biological Report suggests that special 
management considerations would include changes in siting of energy 
projects based on the boundaries of proposed critical habitat. BOEM 
noted that this contrasts with NMFS' discussion of and recommendations 
for the management of fisheries, in which additional management 
considerations are not suggested for federally managed commercial 
fisheries, despite the threat of reduced prey availability being 
described as a moderate risk for the listing of this DPS. BOEM 
recommended that we ``remove energy activities from [our] list of 
activities that may threaten

[[Page 35066]]

the physical and biological features of critical habitat based on [low 
risk and uncertain] conclusions made in [our] Draft Biological Report 
and focus instead on management considerations for other activities 
that are consistent with habitat requirements for IFKWs.''
    Response: We conclude that that offshore energy projects should 
remain on the list of activities that may affect the physical and 
biological feature of MHI IFKW critical habitat because there is 
sufficient information available to suggest that these projects have 
the potential to affect MHI IFKW critical habitat. Offshore energy 
includes a broad suite of different projects (e.g., wind, wave, and 
ocean thermal) that may involve constructing or placing structures in 
the marine environment, as well as operating and maintaining these 
structures. As cited in the Draft and Final Biological Reports, the 
Department of Energy acknowledges that there are common elements among 
these projects that pose a risk of adverse environmental effects 
including, but not limited to, noise during construction and operation; 
alteration of substrates; sediment transportation and deposition; 
generation of electromagnetic fields (EMF); toxicity of paints, 
lubricants, and antifouling coatings; and interference with animal 
movements (Cada 2009). This list of environmental effects indicates 
that these projects present risk to MHI IFKW prey, water quality, sound 
levels, and adequate space for movement and use.
    As acknowledged in the Draft Biological Report (NMFS 2017a), 
current information suggests that risks associated with certain threats 
may be minimal (e.g., EMF) or sufficiently managed under existing 
regulatory regimes (e.g., water quality). However, the fact that 
habitat characteristics may directly or indirectly benefit from 
existing regulatory regimes is not determinative of whether energy 
development activities have the potential to adversely affect the 
feature and characteristics essential to MHI IFKWs, such that the 
feature may require special management or protection. Further, other 
risks related to noise and adequate space for movement and use remain 
relatively unclear because noise sources vary (in levels and frequency) 
among device types, and effects to habitat use as a result of 
structures in the water may vary locally (Bergstrom et al. 2014, 
Teilmann and Carstensen 2012, Scheidat et al. 2011). For example, 
Teilmann and Carstensen (2012) report a decline in harbor porpoise 
habitat use followed by evidence of slow recovery since a large scale 
offshore wind farm was installed in the Baltic, while Scheidat et al. 
(2011) report increased habitat use by harbor porpoises in a wind farm 
in the Dutch North Sea. Accordingly, project-specific details would be 
required to analyze the relative risk that any particular type of 
energy development project may have on MHI IFKW critical habitat. Due 
to the uncertainties associated with the size and scope of these 
projects and their impact on MHI IFKWs and their habitat, we expect 
that monitoring will be recommended for many first generation projects 
in Hawaiian waters.
    As noted by the Department of Energy, project location can play a 
large role in minimizing the environmental impacts of any particular 
project (DOE 2009). While we do find that impacts to critical habitat 
from offshore energy activities may occur, we do not expect that these 
project siting considerations will be raised as late as the formal 
section 7 consultation process. Based on BOEM's objective to work with 
regulatory agencies early in the planning process and to choose 
locations that will minimize environmental impacts (Gilman et al. 
2016), we expect that site locations that minimize potential effects to 
MHI IFKWs and their habitat will be made early in the planning process. 
We have made revisions to the Final Biological Report and Economic 
Report to help clarify that change in location of projects is not an 
expected modification to be made during section 7 consultation; rather, 
regulatory agencies are likely to consider the sensitivity of the 
habitat early in the planning process and to select sites that will 
minimize any potential environmental effects, which is likely to 
minimize impacts to both MHI IFKWs and their critical habitat.
    With regard to the perceived inconsistency between modifications 
for fishery and energy development activities, we note that our 
anticipated modifications to minimize effects to MHI IFKW critical 
habitat vary among activities based on the available information. We 
recognize that fisheries have the potential to adversely affect MHI 
IFKW prey stocks and have included this activity in the list of 
activities that may affect MHI IFKW critical habitat. However, as noted 
in the Draft and Final Biological Reports, commercial fisheries are 
already regulated under catch limits and area restrictions that help 
ensure sustainability of fish stocks, and there is no current 
information suggesting that fishery catch rates are adversely affecting 
the availability of prey for IFKWs (NMFS 2017a and 2018a). 
Nevertheless, we anticipate that through the consultation process, NMFS 
will recommend project-specific modifications that will help reduce 
impacts to critical habitat, whether that activity involves commercial 
fisheries, energy development, or some other Federal action.

Essential Features

    Comment 3: The Hawaii Longline Association (HLA) provided comments 
noting several reasons why the ``prey'' feature may not be 
appropriately identified as a biological feature essential to the 
conservation of the MHI IFKW and why the proposed feature should not be 
used to determine future fisheries management. These comments stated 
that prey is not a limiting factor for this DPS, and noted that the 
Biological Report's conclusion, which anticipated no additional 
management for the longline fisheries, suggests that there are no 
special management measures required for this feature. HLA noted that 
without the need for special management measures, this feature does not 
meet the definition of features that can be used to delineate critical 
habitat under the ESA. HLA also noted that there is insufficient detail 
describing the prey feature (e.g., standards identifying the quantity, 
quality, or availability of prey that is necessary to support MHI IFKW 
conservation) for NMFS to regulate the fisheries in the future, and 
noted that any revised management measures premised upon impacts to the 
prey feature would require a revision to the designation and an updated 
economic analysis to consider the impacts to and any potential 
exclusions for commercial fisheries.
    Response: As noted in the Summary of Changes from the Proposed Rule 
section, we have restructured the feature essential to the conservation 
of MHI IFKWs to clarify that prey is one of four characteristics that 
support the feature, island-associated marine habitat for MHI IFKWs. 
These characteristics, in combination, support the unique ecology of 
MHI IFKWs, and each characteristic may require special management 
considerations or protection to support the overall health and recovery 
of this population.
    The ESA defines critical habitat, in relevant part, as the specific 
areas within the geographical area occupied by the species at the time 
it is listed on which are found those physical and biological features 
(I) essential to the conservation of the species and (II) which may 
require special management considerations or protection, 16 U.S.C. 
1532(5)(A)(i).

[[Page 35067]]

    Merriam-Webster defines a limiting factor as the environmental 
factor that is of predominant importance in restricting the size of a 
population. The ESA does not require that a feature be limiting, but 
only that it be essential to conservation and that it may require 
special management. It is rare that a single factor limits a species' 
conservation; instead, most listed species face multiple threats of 
varying magnitudes, and the combination of these threats can hinder 
recovery. As noted in the species' status review and recovery outline 
(Oleson et al. 2010 and NMFS 2016a), reductions in prey size and 
biomass as well as environmental contaminants (received through prey) 
are medium threats for this DPS (Oleson et al. 2010, and NMFS 2016a), 
indicating that prey is an element in supporting recovery of MHI IFKWs. 
Accordingly, the availability of prey is an important characteristic 
that supports the successful growth and health of individuals 
throughout all life-stages. Further, the successful management of this 
characteristic, which does have competition from fisheries that catch 
MHI IFKW prey within island-associated marine habitat for MHI IFKWs, 
will ultimately support recovery of the population.
    The phrase ``may require'' indicates that critical habitat includes 
features that may now, or at some point in the future, be in need of 
special management or protection. Similar to our analyses in the 
proposed rule, we determined that this characteristic of the essential 
feature may require special management considerations or protections 
due to competition from fisheries that catch MHI IFKW prey. Certain 
laws and regulatory regimes already directly or indirectly protect, to 
differing degrees and for various purposes, the prey characteristic of 
the essential feature. However, in determining whether essential 
features may require special management considerations or protection, 
we do not base our decision on whether management is currently in 
place, or whether that management is adequate, but simply that it may 
require management. That is, we cannot read the statute to require that 
additional special management be required before we designate critical 
habitat (See Center for Biological Diversity v. Norton, 240 F.Supp.2d 
1090 (D. Ariz. 2003)). That a feature essential to conservation may be 
under an existing management program is not determinative of whether it 
meets the definition of critical habitat.
    We recognize that there is uncertainty associated with the relative 
importance of particular prey items in the diet; however, the diet of 
these whales and their energetic requirements are sufficiently 
described in the Draft and Final Biological Reports (NMFS 2017a and 
2018a). Specifically, MHI IFKWs are known to primarily forage on large 
pelagic fish, including yellowfin tuna, albacore tuna, skipjack tuna, 
broadbill swordfish, mahi-mahi, wahoo, and lustrous pomfret (for the 
full list of dietary items see Table 2 of the Final Biological Report; 
NMFS 2018a), and the energetic requirements for the population is 
estimated to be approximately 2.6 to 3.5 million pounds of fish 
annually (see the Diet section of the Final Biological Report, NMFS 
2017a). As noted in the Fisheries section of the Final Biological 
Report several fisheries target or catch MHI IFKW prey species. At 
least nine MHI IFKW prey species (from Table 2) are taken by the 
Federally managed longline fisheries (see Table 3 of the Final 
Biological Report) and several other species are incidentally caught by 
the state and Federal bottomfish fisheries. This overlap in targeted 
species of fish indicates there may be competition between fisheries 
and MHI IFKWs. Our designation and associated economic analysis are 
based upon the best available scientific information available at the 
time of designation. At this time, the prey characteristic of the 
essential feature meets the definition of critical habitat, in that it 
is essential to the conservation of the species and may require special 
management considerations or protection.
    Comment 4: The Western Pacific Regional Fishery Management Council 
(the Council) submitted comments noting that they agree with our 
assessment of prey competition between MHI IFKWs and federally managed 
fisheries and our conclusion that additional management is not 
necessary for these activities. However, the Council disagreed with 
statements that future revised management measures could be necessary 
for Federal fisheries, noting that this was unlikely in the foreseeable 
future given the diverse prey base of MHI IFKWs and given existing 
protections already in place to manage healthy levels of pelagic fish 
stocks.
    Response: As noted in our response to comment 3, we recognize that 
current information indicates that MHI IFKWs prey on a number of 
species (see Table 2 of the Final Biological Report; NMFS 2018a) and 
that their diet is diversified; however, as noted in the Biological 
Report, there is little known about specific diet composition, prey 
preferences, or potential differences among the diets of MHI IFKWs of 
different age, size, sex, or even social cluster. However, we do have 
information that false killer whales prefer pelagic prey species (e.g., 
broadbill swordfish, skipjack tuna, albacore tuna, yellowfin tuna, blue 
marlin, and bigeye tuna) targeted by commercial fisheries. While we do 
not expect modifications to fishery management at present, we cannot 
assume that Federal regulations that are designed to maintain 
sustainable fisheries will be adequate by themselves to address the 
prey needs of a recovering IFKW DPS. Accordingly, we refrain from 
speculating as to the need for additional management of this 
characteristic as more information becomes available in the future.
    Comment 5: BOEM commented that there are no special management 
considerations or protective measures that can reasonably be attributed 
to the ``Island-associated marine habitat for MHI IKFWs'' feature, 
without which the feature has little or no utility within the context 
of ESA consultations. BOEM recommended removing the feature to minimize 
confusion and avoid unnecessary analyses.
    Response: As noted in the Summary of Changes from the Proposed Rule 
section, we have restructured the feature essential to the conservation 
of MHI IFKWs. The feature, island-associated marine habitat for MHI 
IFKWs, now consists of four component characteristics that, in 
combination, help describe the feature of habitat that is essential to 
MHI IFKWs. As noted above, we previously attempted to describe the 
significance of allowing for movement to, from, and within this habitat 
as part of the description of the proposed ``island-associated marine 
habitat'' feature. In the restructured version of the essential feature 
for this critical habitat designation, we have specifically described 
``adequate space for movement and use within shelf and slope habitat'' 
as a characteristic of this feature. To clarify the special management 
considerations or protections, each characteristic includes a 
discussion of factors that may threaten or pose a risk to that 
characteristic. With regard to adequate space for movement and use 
within shelf and slope habitat, we specify that human activities that 
interfere with whale movement through the habitat by acting as a 
barrier may adversely affect this characteristic. We also provide 
examples of activities that may act as barriers to movement, such as 
large marine structures or sustained acoustic disturbance, and describe 
factors that may intensify these habitat effects, many of which can be 
minimized or mitigated.

[[Page 35068]]

    Comment 6: We received several comments (from HLA, State of 
Hawaii's Division of Aquatic Resources (DAR), BOEM and the Navy) 
recommending that NMFS remove the ``habitat free of anthropogenic 
noise'' feature. The DAR noted that noise is related to an activity and 
is not a feature of the habitat, and that anthropogenic noise should be 
considered for its potential negative impacts to IFKWs, but it should 
not be an essential feature of the habitat. BOEM recommended removing 
the feature from the designation because (1) the proposed feature is 
not an existing physical or biological habitat feature, (2) effects of 
anthropogenic sound are evaluated through the ESA section 7 analysis as 
a direct effect to the DPS, and (3) there is insufficient information 
available to predict with confidence if, how, and where noise-related 
activities may require additional management as an element of habitat 
for the DPS. HLA noted that it is not appropriate or lawful for NMFS to 
include the absence of an element (sound) as an essential feature. HLA 
noted that the absence of certain levels of sound is not a tangible 
physical or biological feature that can be found in a specific area, 
and that the presence of sound should be evaluated under the 
``jeopardy'' prong of a section 7 consultation because any 
determination by NMFS that sound may adversely affect the IFKW would be 
predicated on the finding that the sound affects the animals, not the 
animal's habitat. Further, HLA noted that many of NMFS' past critical 
habitat designations for other species that are susceptible to adverse 
effects associated with in-water sound do not include sound as a 
feature, and that we should not change our existing policy by 
identifying it as a feature for this species. The Navy submitted 
comments expressing concerns that the proposed rule did not include 
examples of what activities or impacts might adversely affect or 
adversely modify the proposed sound feature and requested that NMFS 
remove the feature until such time that the science becomes more 
mature.
    Response: As noted in our response above and the Summary of Changes 
from the Proposed Rule section, based on this and other comments, we 
have restructured the feature essential to the conservation of MHI 
IFKWs. In the final rule, the several features described as independent 
features in the proposed rule now appear as characteristics that exist 
in combination under a single essential feature, island-associated 
marine habitat for MHI IFKWs. We agree with the commenters that the 
description ``free of anthropogenic noise'' does not provide a clear 
standard for determining how this habitat characteristic supports MHI 
IFKW conservation within island-associated habitat. However, we still 
find that sound levels are an important attribute of the island-
associated habitat that is essential to MHI IFKWs' conservation.
    As odontocetes, these whales rely on their ability to receive and 
interpret sound within their environment in order to forage, travel, 
and communicate with one another. Accordingly, island-associated 
habitat must be capable of supporting MHI IFKWs' ability to do so. 
While it is clear that noise introduced into the environment has the 
potential to affect individual whales in a manner that may have 
biological significance (i.e., to result in a take by harassment or 
injury), scientific information also indicates that the introduction of 
a permanent, chronic, or persistent noise source can degrade the 
habitat of such sound-reliant species by adversely altering the 
animal's ability to use the habitat for foraging, navigating, or 
reproduction (i.e., altering the conservation value of the habitat). 
This reliance on sound, combined with the fact that these whales are 
adapted to a restricted range, make sound levels an important 
characteristic of island-associated habitat. Thus, it is appropriate to 
consider how permanent, chronic, or persistent noise sources may alter 
the value of that habitat and manage for it.
    With regard to the comment that this characteristic has not been 
expressed as a feature of the habitat, we considered rephrasing this 
characteristic to describe how ambient sound levels support MHI IFKW's 
capacity to forage, navigate, and communicate. However, we find that 
this articulation would not provide sufficient guidance to the 
regulated community about human activities that may degrade listening 
conditions for MHI IFKWs within island-associated marine habitat. To 
clarify how sound as a characteristic of habitat supports these whales 
and how human activities may adversely affect this characteristic we 
have revised the language describing this characteristic from ``Habitat 
free of anthropogenic noise that would significantly impair the value 
of the habitat for false killer whales' use or occupancy'' to ``sound 
levels that would not significantly impair MHI IFKW's use or 
occupancy.'' We believe that this formulation appropriately identifies 
that these whales rely on sound levels within their environment, and 
that noise that alters sound levels such that it interferes with these 
whales' use or occupancy may result in adverse effects to MHI IFKW 
critical habitat.
    In this rule (see the Physical and Biological Features Essential 
for Conservation section) and the Final Biological Report (NMFS 2018a) 
we describe the importance of sound in this populations' ecology and 
how chronic noise sources may alter the value of their habitat. We 
recognize that the mere presence of noise, or even noise which might 
cause harassment of the species, does not necessarily result in adverse 
modification. Rather, we emphasize that chronic, or persistent noise 
sources are of concern and should be evaluated to consider the degree 
to which the noise may impede the population's ability to use the 
habitat for foraging, navigating, and communicating, or whether the 
noise source may deter MHI IFKWs from using the habitat entirely.
    Our designation must be based on the best available scientific 
information at the time of designation and this includes considerable 
information on the species' reliance on sound in the environment and 
the effects of sound on their ability to communicate, forage and 
travel. Although we may not be able to predict exactly what noise-
related activities may result in adverse modification of critical 
habitat or the management measures that will be taken in the future, we 
conclude that sound is an important characteristic of this species' 
habitat that may need special management considerations.
    While previous critical habitat designations may not always have 
directly identified sound levels as a characteristic of critical 
habitat, we have considered how anthropogenic noise affects habitat use 
for species that are susceptible to the adverse effects associated with 
in-water sound for example, by creating barriers to passage or movement 
of Southern Resident killer whales (71 FR 69054; November 29, 2006) and 
Atlantic sturgeon (82 FR 39160, August 17, 2017). Although we 
ultimately did not include sound as an essential feature for the 
Southern Resident killer whale, our designation of critical habitat for 
Cook Inlet beluga whales does include the essential feature of the 
absence of in-water noise at levels resulting in the abandonment of 
habitat by Cook Inlet whales'' (76 FR 20180; April 11, 2011).
    As discussed in the Final Biological Report, how human activities 
that introduce noise in the environment might change the animals' use 
of habitat and determining the biological significance of that change 
can be complex and involve consideration of site specific variables, 
including: The characteristics of the introduced sound (frequency 
content, duration, and intensity); the physical characteristics of

[[Page 35069]]

the habitat; the baseline soundscape; and the animal's use of that 
habitat. For the MHI IFKW designation, we include ``sound levels'' as a 
characteristic of the essential feature, because it notifies Federal 
agencies of the significance of sound levels in supporting MHI IFKWs' 
habitat use. Additionally, it allows these agencies to use the best 
available information to consider whether their activities may result 
in adverse effects to MHI IFKW habitat.

Areas Included in the Designation

    Comment 7: We received several comments in support of the size and 
protections associated with the proposed designation. These comments 
generally acknowledged the importance of protecting habitat for this 
DPS. A number of these comments noted that the designation may provide 
ancillary habitat protections, thereby benefiting other species, 
biological resources, or cultural resources in Hawaiian waters.
    Response: We agree that critical habitat designations are important 
in supporting thoughtful planning for the conservation of a species 
and, as noted in the Draft and Final Economic Reports, these 
designations can provide ancillary habitat protections to other species 
and resources that overlap with those areas (Cardno 2017 and 2018).
    Comment 8: We received several additional comments about the 
overall size of this designation and the area included. Comments from 
BOEM and DAR suggested that the size of the designation was too large 
and both agencies recommended that NMFS focus the designation on high-
use areas for IFKWs. Specifically, BOEM noted that the proposed 
designation includes the entire area used by this DPS, yet the proposed 
rule suggests that ``high-use'' and ``low-use'' areas within the 
designation may be used to identify special management considerations 
for siting offshore energy facilities. BOEM noted that the proposed 
rule considers access to high-use areas to be important, but does not 
describe how access may be affected by human activities in an open 
ocean environment. BOEM recommended focusing on ``high-use areas to 
provide better definition for special management considerations and/or 
protections of habitat.''
    DAR referred to the large area of the proposed designation at 
19,184 mi\2\ and noted that the proposal seemed overly large for 151 
animals, providing an average of 127 mi\2\ per animal. DAR indicated 
that the non-uniform habitat use patterns of this DPS suggests that all 
waters within the 45-3,200 m depth range are not equally important and 
that designating all of these waters is not logical. DAR recommended 
that NMFS focus on the areas that seem to be important (i.e., high-use 
areas) as the basis for critical habitat designation.
    Comments received from the Marine Mammal Commission (MMC) also 
noted the large size of this designation and the potential difficulty 
in managing acute threats to IFKWs over a broad designation. However, 
the MMC also noted that, for the time being, the size of this 
designation was appropriate because information necessary to refine 
this designation is not yet available for this DPS. The MMC noted that 
the proposal meets the statutory requirements and went on to recommend 
that NMFS continue to undertake and support research needed to refine 
the designation in the future to further support recovery needs for 
this DPS.
    Response: We find that the area designated as critical habitat is 
appropriate and representative of the ecological needs of this large 
marine predator. Moreover, it is based on the best available 
information, and does not include the entire range of the DPS. The area 
that is being designated includes approximately 26.5 percent of this 
DPS's range. The boundaries take into consideration the population's 
preference for deeper waters just offshore (45 m) and align with 
habitat use on the leeward and windward sides of the islands, while 
also allowing for travel around and among the islands through the 
selection of the offshore depth boundary at 3,200 m. While much 
information has been gained about habitat use for this DPS, there is 
still more to be learned about how habitat use differs among social 
clusters and over time as seasonal or long-term oceanographic changes 
influence prey. As noted in this comment, the proposed rule and the 
Biological Report (Baird et al. 2012) applied a density analysis to MHI 
IFKW satellite tracking information to identify high-density areas 
(also referred to as high-use areas) of the DPS's range; these portions 
of the range likely represent particularly important feeding areas for 
the animals represented in the data (Baird et al. 2012). We note 
however, that the known high-use areas are not necessarily 
representative of all clusters, as very few animals from some clusters 
have been tagged to date. Based on the incomplete information 
available, we cannot conclude that the documented high-use areas 
represent all feeding areas or sources of prey essential for the 
conservation of this DPS.
    Rather, current information suggests that these whales travel great 
distances throughout the MHI (Baird et al. 2012), and their prey 
species are also known to be broadly ranging, widely migratory species 
that are patchily distributed throughout the whales' range (Oleson et 
al. 2010). Additionally, these whales are observed feeding throughout 
the low-density areas of their range (Baird et al. 2012). Although the 
data indicates that the whales concentrate efforts in certain areas 
where foraging success is high, additional information indicates MHI 
IFKWs continue to forage for prey located throughout their range; 
therefore, other areas of the waters surrounding the MHI meet the 
definition of critical habitat.
    We have not identified the high-use areas of the range as an 
independent feature of MHI IFKW critical habitat, but rather as a 
strong indicator of the presence of characteristics of the essential 
feature. We also use the information about known concentrated habitat 
use to evaluate the conservation value of areas, as noted in the ESA 
Section 4(b)(2) Report (NMFS 2018b). Because of the concentrated use of 
this habitat, we infer the conservation value for high-use areas to be 
higher than low-use areas of the range. In other words, we considered 
that these high-use areas of the designation may offer more benefits to 
IFKWs and that the loss or degradation of these areas may result in a 
greater impact to the DPS as a whole. In our response to Comment 5, we 
note that we revised our Biological Report to clarify that we expect 
siting decisions for renewable energy projects to occur early in the 
planning stage rather than at the consultation stage. Nonetheless, we 
do expect planners to take into consideration IFKW use of a particular 
area and to minimize any potential impacts to these whales and their 
habitat. Thus, while the effects of certain technologies are largely 
uncertain, planning groups may choose to avoid placing projects in high 
conservation value areas if alternative locations exist in low-use 
areas.
    Comment 9: We received comments specific to the boundaries that 
were selected for the proposed designation. Two comments suggested that 
NMFS reconsider the inner boundary of the designation. In particular, 
the National Park Service recommended that the inner boundary of the 
designation be moved to 30 m in depth to incorporate additional areas 
where this DPS has been documented (in accordance with Baird et al. 
2010) and to include a buffer zone. Alternatively, DAR suggested that 
NMFS use IFKW satellite tagging data to select a boundary for the 
designation. DAR noted that this data seems to support a critical 
habitat designation

[[Page 35070]]

that is in closer proximity to the islands, especially near Molokai and 
Hawaii.
    The Council requested that NMFS provide further clarification on 
the basis for selecting the outer boundary of 3,200 m in depth. The 
Council noted that the depth appears to have been selected to allow the 
designation to be drawn in a continuous range around the MHI and that 
the designation may include areas that may not be essential to the 
conservation of the MHI IFKWs. The Council recommended that an 
alternative delineation be made based on different depth ranges around 
each island and the channels to account separately for habitat 
characteristics around each island and areas used among islands for 
movement.
    Response: In response to these comments we re-analyzed the data 
used to select the boundaries for this designation as well as new 
satellite information received from Cascadia Research Collective to 
determine if different boundaries may be appropriate. We also reviewed 
the data by island to consider whether alternative patterns exist at 
different depths or distances from shore.
    Review of this information revealed that 2.5-3.8 percent of 
satellite-tag locations were shallower than 45 m across the islands 
(the higher percent includes points located on land, which likely fall 
into shallow locations due to the associated error with these 
satellite-tag locations). When we mapped shallow satellite-tag 
locations across the islands, we did not observe clear spatial patterns 
around each island, but saw that shallower use varied somewhat between 
islands. Similar to the proposed rule, we then reviewed depth frequency 
histograms of satellite-tag locations, but considered these locations 
specific to each island as requested by the above comments. These 
histograms varied slightly from island to island, but we noted that 
when high-use areas are located near islands, the depth frequency 
histogram for that island is skewed toward deeper depths, indicating 
these data may be limited in describing meaningful patterns around the 
entire island. In addition to considering depth around each island, we 
reviewed distance from shore and found similarly disparate patterns 
ranging from 500 m offshore to over 1,200 m. Looking across the islands 
as a whole, less than four percent of the satellite-tag locations are 
found at depths shallower than 45 m, and this remains a depth at which 
the frequency of satellite-tag locations increases and remains more 
consistent.
    Throughout this review we considered whether prescribing a 
different depth or distance from shore for each island would provide 
more clarity about MHI IFKW habitat use or management of their habitat 
around each island; however, prescribing island-specific boundaries 
would not better match how these animals use Hawaiian waters. Given the 
DPS's non-uniform treatment of habitat around each island, splitting 
these data by island may not partition the habitat in manner that is 
ecologically meaningful.
    With regard to the outer boundary, we selected the outer depth 
boundary to incorporate those areas of island-associated habitat where 
MHI false killer whales are known to spend a larger proportion of their 
time (see high-use discussion in Movement and Habitat Use in the 
Biological Report), and to include island-associated habitat that 
allows for movement between islands and around each island. As noted 
above, these whales move great distances throughout the MHI, moving 
back and forth between areas off multiple islands. The 3,200 m depth 
boundary best aligns with the span of habitat used on the leeward and 
windward sides of the islands, allowing for ample space for these 
whales to move among areas of concentrated or high-use, including 
habitat across the core portions of the range.
    We have not revised the boundaries at this time because the 
commenters requested revisions are not supported by the data, although 
some aspects of our analysis indicate that further consideration may be 
warranted as additional information becomes available. The current 
delineation of 45-3,200 m is appropriate because it includes a depth 
just offshore where MHI IFKWs are more likely to be found and an outer 
boundary that aligns with habitat use on the leeward and windward sides 
of the islands, while allowing for travel around and between the 
islands.
    Comment 10: DAR provided comments on the vertical extent of this 
designation, noting that NMFS should limit the designation to those 
depths that are utilized by the DPS and their prey. DAR noted that 
1,272 m is the maximum dive depth recorded for this DPS, and 
recommended that, similar to the monk seal critical habitat designation 
which focuses on the habitat 10-m from the bottom where monk seals 
forage, the IFKW designation focus on the upper 1,500 m of the water 
column which is the portion of the habitat being used by the IFKWs.
    Response: We considered the recommendation to limit this 
designation to the depth of 1,500 m; however, given the limited data 
available and other management considerations associated with water 
quality and sound, we have not limited the designation to a specific 
depth. For the Hawaiian monk seal we limited the critical habitat 
designation to 10 m from the bottom to help clarify where Hawaiian monk 
seal foraging areas, an essential feature of the designation, exist and 
to help clarify where protections should apply (80 FR 50926; August 21, 
2015). While we recognize that MHI IFKWs and their prey may limit their 
habitat use to specific depths, information about these patterns is 
still relatively limited. Further, sound levels and water quality, 
which also support the feature essential to the conservation of MHI 
IFKWs, may be at risk at a wider range of depths.
    Comment 11: One commenter noted that a study by Baird et al. (2011) 
found an island-associated population of false killer whales in the 
Papahanaumokuakea Marine National Monument and suggested that this area 
be added to the critical habitat of the MHI IFKW DPS, because the area 
is free of anthropogenic noises, and the listed species has been found 
in this region. The commenter went on to note that an expansion of 
critical habitat into this region may also shield the DPS from climate 
change impacts and prepare for range shifts in the DPS or in their prey 
as a result of climate change.
    Response: We have not included areas of the Papahanaumokuakea 
Marine National Monument in this designation of critical habitat 
because we find that this area is unoccupied habitat outside the range 
of the DPS and is not essential to its conservation. To be clear, the 
MHI IFKW is one of three false killer whale populations found in 
Hawaiian waters: The MHI IFKW, Northwestern Hawaiian Islands FKW, and 
pelagic FKW. Only the MHI IFKW is listed under the ESA. Although the 
range of the MHI IFKW overlaps with that of the Northwestern Hawaiian 
Islands and pelagic populations, the MHI IFKW range does not extend 
into the Papahanaumokuakea Marine National Monument. While we can 
consider designation of critical habitat outside the geographic range 
of a listed species, given the unique ecology of the MHI IFKW, their 
reliance on the shelf and slope habitat of the MHI, and the fact that 
another population of false killer whales occupies the waters of the 
NWHI, we find no information to suggest that waters in the NWHI are 
essential to conservation. Further, climate change predictions do not 
provide information that would allow us to conclude that the NWHI will

[[Page 35071]]

provide habitat that is essential to conserving MHI IFKWs.

Areas Ineligible for Designation

    Comment 12: We received several comments that disagreed with or 
questioned our determination that the Joint Base Pearl Harbor Hickam 
(JBPHH) INRMP provides a benefit to MHI IFKWs. Comments received from 
the MMC, Natural Resources Defense Council (NRDC), the Center for 
Biological Diversity (CBD), and a researcher with the Cascadia Research 
Collective noted that MHI IFKW habitat-use information suggests that 
the overlapping areas (the Ewa Training Minefield and National 
Defensive Sea Area) provide important corridors for MHI IFKWs and that 
NMFS should consider this information in meeting its ESA section 
4(a)(3) requirements. These comments also noted that the INRMP was 
approved prior to the listing of the MHI IFKW, and therefore does not 
take into account the unique conservation needs of this DPS. Comments 
from the MMC noted that JBPHH conservation measures mentioned in the 
proposed rule do not provide a direct, quantifiable, or obviously 
substantial benefit to MHI IFKWs. The MMC recommended that NMFS 
withdraw its proposed determination and subsequent preclusion of areas 
managed under the JBPHH, but if retained, that the INRMP be updated to 
include activities that benefit IFKWs more directly. In a joint 
comment, NRDC and CBD also noted that there is not a direct link 
between the JBPHH conservation measures and direct benefits to the MHI 
IFKW or their prey. NRDC and CBD noted that many of these measures are 
merely proposed and not yet officially included in the JBPHH INRMP, 
which is due to be drafted in 2018. NRDC and CBD similarly recommended 
that NMFS re-evaluate its consideration of whether the INRMP provides a 
benefit to MHI IFKWs and that NMFS not preclude these areas from the 
critical habitat designation due to the high conservation value of 
these areas for MHI IFKWs.
    Response: In response to these comments we reviewed our 
determination regarding the JBPHH INRMP; we also contacted the Navy for 
additional information about the on-going implementation and the plans 
for revision of this INRMP. As noted in the ESA Section 4(b)(2) Report 
(NMFS 2018b), regulations at 50 CFR 424.12(h) provide that the 
Secretary will not designate as critical habitat DOD lands that are 
subject to an INRMP if the Secretary determines in writing that such 
plan provides a conservation benefit to the species for which critical 
habitat is being designated. In determining whether such a benefit is 
provided, NMFS considers (1) the extent of the area and features 
present; (2) the type and frequency of use of the area by the species; 
(3) the relevant elements of the INRMP in terms of management 
objectives, activities covered, and best management practices, and the 
certainty that the relevant elements will be implemented; and (4) the 
degree to which the relevant elements of the INRMP will protect the 
habitat from the types of effects that would be addressed through a 
destruction-or-adverse-modification analysis. Importantly, NMFS can 
find that an INRMP provides a benefit to a species where, as here, the 
species is not directly addressed in the INRMP. In these cases, we 
consider adaptive conservation management for the feature essential to 
the conservation of the species (i.e., its habitat features) or the 
species itself either directly or indirectly. We also consider whether 
adaptive conservation management measures are effective and reasonably 
certain to be implemented.
    The JBPHH INRMP overlaps with the areas under consideration for 
critical habitat in two areas, the Naval Defensive Sea Area and the Ewa 
Training Minefield, which include approximately 27 km\2\ (~10 mi\2\) of 
area or approximately 0.5 percent of the areas under consideration for 
critical habitat. Based on our review of relevant data, including 
supplemental satellite-tracking information from Cascadia Research 
Collective (3 new animals), we consider these areas to be low-use (low-
density) areas for MHI IFKWs, and note that they travel through these 
areas at moderate levels (see Figure 4 of the ESA Section 4(b)(2) 
Report). We therefore consider these areas to be of low to moderate 
conservation value to MHI IFKWs in comparison to other areas of the 
designation.
    During development of the proposed rule the Navy highlighted a 
number of JBPHH management efforts that benefit MHI IFKW habitat. After 
reevaluation, we still find that the JBPHH INRMP provides a number of 
conservation measures that benefit MHI IFKWs and their habitat, 
including those that address water quality and fishery prey base (see 
the Application of ESA Section 4(a)(3)(B)(i)(Military Lands) section of 
this rule). Specifically, measures taken to improve water quality, 
including restoration projects and pollution prevention plans, directly 
improve or maintain the water quality characteristic of MHI IFKW 
critical habitat. Actions taken to remove feral animals, as well as 
restrictions on free roaming cats in residential areas, also help to 
maintain water quality and lower the risk of infectious agents being 
introduced into MHI IFKW habitat. The Navy's participation as an active 
member of the Toxoplasmosis and At-Large Cat Technical Working Group 
helps address issues that JBPHH faces on base and encourages a broader 
response to a conservation issue that threatens much of Hawaii's 
wildlife, including MHI IFKWs. Finally, the Navy has issued fishing 
restrictions adjacent to and within areas that overlap the potential 
designation, and conducts creel surveys that provide information about 
fisheries in unrestricted areas of Pearl Harbor. These measures provide 
protections for and information about the marine ecosystem and food web 
that supports MHI IFKW prey species.
    We find that some of these protections (e.g., stormwater and 
pollution measures or watershed enhancement activities) address effects 
that would otherwise be addressed through an adverse modification 
analysis (provided they are not already addressed through baseline 
protections). Other conservation measures (e.g., controlling cats to 
prevent the spread of toxoplasmosis and fishery restrictions) address 
effects to MHI IFKW habitat that otherwise may not be subject to a 
section 7 consultation. In these instances, the Navy's INRMP provides 
protections aligned with 7(a)(1) of the ESA, which instructs Federal 
agencies to aid in the conservation of listed species.
    As part of an adaptive management approach for this INRMP, NMFS 
staff participates in JBPHH INRMP annual reviews to provide 
recommendations about plan implementation and effectiveness and to 
receive information about upcoming plan amendments. These reviews help 
ensure that the plan provides an effective mechanism for addressing MHI 
IFKW conservation within areas managed under the JBPHH INRMP. 
Specifically, the reviews provide a reliable method for feedback, 
regular assurances that the above-described conservation measures are 
being implemented, and a procedure for assessing and modifying measures 
to ensure conservation effectiveness.
    Although not essential to our determination that the JBPHH INRMP 
provides a benefit to the MHI IFKW, we also take into consideration 
additional future measures that the Navy plans to include in updates to 
the INRMP by December 2018. These expected additional measures include 
(1) specific information about MHI IFKWs, (2) where MHI IFKWs may be 
found in areas managed by the installation, (3)

[[Page 35072]]

new projects associated with watershed enhancement, and (4) mandatory 
mitigation measures already used by the Pacific Fleet to minimize 
impacts to MHI IFKWs as they use these areas. Procedural mitigation 
measures are mandatory activity-specific measures taken to avoid or 
reduce the potential impacts on biological resources from stressors, 
including those that may cause acoustic or physical disturbance to 
marine mammals during Navy training and testing. These procedural 
measures are required in the Navy's Protective Measures Assessment 
Protocol consistent with letters of authorization for training 
activities issued under the MMPA and supporting ESA analyses. 
Procedural mitigation measures are adaptively managed as new 
information becomes available about effective mitigation techniques and 
are identified in the current Hawaii-Southern California Training and 
Testing Final Environmental Impact Statement. Examples of measures 
include training personnel to spot and identify marine mammals 
(lookouts), reporting requirements for trained lookouts, and halt or 
maneuvering requirements when marine mammals are spotted within 
identified mitigation zones of Navy activities (DON 2013 and 2017c). 
Although not restricted to the JBPHH areas, these mandatory mitigation 
measures help ensure that the Navy will avoid or reduce the impacts 
from acoustic stressors on MHI IKFWs as the INRMP is updated by 
December 2018.
    After careful review, we are satisfied that the Navy's 2011 JBPHH 
INRMP provides a benefit to the MHI IFKW in this relatively small (0.5 
percent of habitat that overlaps with areas that meet the definition of 
MHI IFKW critical habitat) area having low-moderate conservation value 
to MHI IFKWs. We are satisfied that the Navy's documented history of 
consistent plan implementation and their commitment to adaptive 
management through the implementation of mandatory mitigation measures 
will ensure that MHI IFKWs receive benefits under the JBPHH INRMP, 
particularly with respect to improving watershed health in the Pearl 
Harbor area, which will benefit prey and water quality characteristics. 
Further, we expect that the Navy will continue to strengthen its INRMP 
through scheduled updates to be completed by December 2018.

Comments on the Economic Impacts

    Comment 13: We received comments from BOEM indicating that the 
proposed rule did not describe the full range of the economic effects 
because the analysis was limited to a discussion of incremental 
administrative costs and did not describe, quantitatively or 
qualitatively, the cost factors associated with changes in site 
selection should the proposed critical habitat be interpreted to 
require such changes. BOEM noted that even small changes to siting 
decisions can equate to large costs, and that during initial planning 
these decisions can impact the viability of developing reliable and 
cost-effective renewable energy resources. Additionally, BOEM noted 
that ``the economic report does not appear to reconcile the estimated 
increases in administrative costs between sectors [comparing energy and 
fisheries] when compared with its conclusions for the management needs 
that are used to justify incremental increases in administrative 
costs.''
    Response: As noted in our response to Comment 2, we expect that 
BOEM will make site location decisions that minimize potential effects 
to MHI IFKWs and their habitat early in the planning process (Gilman et 
al. 2016). We also note that current potential site locations are 
predominantly found in low-use habitat areas. Accordingly, we have 
revised the Biological Report to clarify that site relocation is not an 
anticipated modification identified during section 7 consultation for 
this designation. With regard to the comment about estimated increases 
in administrative costs between sectors, Chapter 4 of the Economic 
Report (Cardno 2018) points out that the administrative costs for each 
activity are estimated using the number of consultations for that 
activity over the last 10 years (from NMFS section 7 database) as well 
as any information gathered about likely future projects that may 
require consultation. These administrative costs take into 
consideration whether technical assistance, informal, formal, or 
programmatic consultation is expected and do not include incremental 
costs associated with any recommended project modifications to minimize 
the impacts to critical habitat (see Table 4-1; Cardno 2018). The 
administrative cost differences between fishery activities and energy 
activities are therefore based on the number and type of consultations 
expected over the next ten years and do not include any incremental 
modification costs associated with consultation. Fishery activities 
regularly undergo consultation around Hawaii, and the consultation 
history indicated that this category of activity underwent 7 formal, 17 
informal and 2 technical assistances over the 10-year period. Thus, the 
administrative costs for fishery activities were estimated assuming a 
similar pattern of consultation. Renewable energy development 
activities do not have the robust history of consultation in Hawaii 
that fishery activities have. As such, we estimated the administrative 
costs for these activities based on information provided about three 
anticipated projects within the next 10 years (the time frame of the 
analysis), which are assumed to require formal consultation. BOEM and 
Hawaii State Energy staff indicated that there was uncertainty 
regarding whether the projects would be implemented in the next ten 
years. As such, the administrative cost estimates for energy activities 
were estimated in a range from a low of 0 to a high of 16,000 dollars, 
to reflect alternatives in which none of the projects occur (0 dollar 
estimate) and all three projects occur and require consultation in the 
next 10 years (16,000 dollar estimate).
    Comment 14: DAR provided comments suggesting that Federal agencies 
may not be the only ones impacted by a broad designation and noted that 
an overly broad critical habitat designation wouldn't necessarily 
identify important habitats that are essential for the conservation of 
the species and could unintentionally and unnecessarily, increase 
management costs. This comment referred to costs and delays to projects 
associated with the management of Essential Fish Habitat (EFH) and 
suggested that a broad critical habitat designation could result in 
similar costs and delays.
    Response: As noted in our response to Comment 8, we conclude that 
this designation is representative of the ecological needs of this 
endangered population and is based on the best available information. 
We do not agree that designation is overly broad, as it is based on 
habitat characteristics that support important biological needs, and 
includes less than thirty percent of the IFKW's occupied range. 
Moreover, as noted in the Economic Report (Cardno 2018), the economic 
impacts of this designation are low because the designation does not 
include many nearshore areas, including developed shoreline, harbors 
and inlets, where a majority of Hawaii's marine section 7 consultations 
occur, and because existing regulatory measures provide some baseline 
protections for habitat characteristics, such as water quality and 
prey. As such, we anticipate that the costs of this designation will be 
largely attributed to federally-managed fisheries, Department of 
Defense activities, and marine-related construction and energy 
development,

[[Page 35073]]

and we do not anticipate that the additional consultation on effects to 
critical habitat will result in significant, additional project delays 
or costs.
    We note that the consultation process for critical habitat under 
the ESA and EFH under the Magnuson-Stevens Act have different 
requirements and work under different timeframes. We have no basis to 
conclude that the costs associated with conserving existing EFH are 
related to costs associated with this critical habitat designation.

Comments on 4(b)(2) Exclusions

    Comment 15: The MMC provided comments on the 4(b)(2) weighing 
process for national security exclusions, expressing concerns that, 
without a quantitative analysis of benefits to security or 
conservation, decisions to designate or exclude an area from the 
designation based on qualitatively balancing IFKW use with potential 
regulatory compliance burden appear to be somewhat arbitrary. The MMC, 
provided examples: ``Waters Enroute to PMRF,'' Kingfisher Range, and 
Kaula and Warning Area 187, in which NMFS chose not to exclude the 
first area and to exclude the second and third areas, using essentially 
the same reasoning of having low MHI IFKW use and a minor impact to the 
Navy's consultation. The MMC recommended that NMFS reconsider its 
benefit analysis, and investigate methods to draw equivalence, ideally 
quantitative, between conservation benefits inferred from IFKW usage 
and benefits of relief from potential regulatory compliance impacts.
    Response: We have not identified a quantitative method to compare 
the benefits of excluding particular areas for national security to the 
benefits of designation of critical habitat for MHI IFKWs. A 
qualitative approach allows us to better evaluate the different factors 
that weigh in the balancing test. We note that even where we have 
quantitative information, that information is incomplete and may 
require qualitative assessment. For example, in our comparison of 
benefits of exclusion versus benefits of designation, we consider MHI 
IFKW habitat use in areas where satellite tracking information may be 
underrepresented (e.g., areas known to be used by cluster 2 and 4 
animals).
    With regard to the ``Waters Enroute to PMRF,'' Kingfisher Range, 
and Kaula and Warning Area 187 examples, we disagree that our weighing 
process was inconsistent in the proposed rule, and we note that key 
differences in our analyses outlined in the ESA Section 4(b)(2) Report 
turned on differences associated with the size of the requests, the 
control that DOD has over each area, and the likelihood that other 
Federal activities may require consultation and may occur in each area. 
For example, both the Kingfisher and Kaula areas are relatively small 
in size, and DOD control and use of these areas are likely to preclude 
other Federal activities that would otherwise undergo consultation, 
thus presenting a lower benefit of designating critical habitat in 
these areas. In contrast, ``Waters Enroute to PMRF'' includes a larger 
area in which the Air Force's activities and use are not likely to 
preclude other Federal activities that would otherwise undergo 
consultation. However, based on this comment, and the question raised 
about inconsistencies in our decision making process, we have revised 
tables in our ESA Section 4(b)(2) Report to articulate more clearly the 
differences in our determinations for this weighing process.
    As noted above, we have reassessed our evaluation of the waters 
south and east of PMRF (the Kaulakahi Channel portion of Warning area 
186) after considering supplemental information furnished by the Navy 
in October of 2017, and for the reasons discussed above, we concluded 
that the benefits of excluding this area outweigh the benefits of 
designation. While the Kaulakahi Channel portion of Warning area 186 
overlaps in part with the ``Waters Enroute to PMRF,'' these two areas 
were assessed independently based on differences in the geographic 
scopes of the requests made by the Air Force and Navy, as well as 
differences in the activities occurring in these areas (DOAF 2017, DON 
2017b, DON 2018). Although our independent weighing of the Air Force's 
request for the ``Waters Enroute to PMRF'' area did not change, we note 
that a portion of this area is now excluded from critical habitat 
because it overlaps with the Kaulakahi Channel portion of Warning area 
186, where the benefits of exclusion (for Navy activities) were found 
to outweigh the benefits of designation.
    Comment 16: Cascadia Research Collective's Researcher Robin Baird, 
Ph.D., provided additional information about MHI IFKW habitat use for 
13 of the areas analyzed in our 4(b)(2) national security exclusion 
process as well as the six additional areas we identified in the 
proposed rule but for which we did not include a proposed exclusion 
determination. This information included analyses of a larger sample 
size of satellite tag data from that reported in the Draft Biological 
Report (i.e., 3 additional individuals' data was included with the 27 
already considered in the Draft Biological Report). Using this 
satellite-tag information and the boundaries of the areas under 
consideration for exclusion, Baird calculated the total area requested 
for exclusion (in km\2\), percent of the total range, percent of total 
time spent in an area, days spent in area (per 100 km\2\), and the 
number of visits (per 100 km\2\). Baird noted that these analyses show 
that a number of areas that are proposed for exclusion are relatively 
high-use areas or appear to be important as transit areas. Baird noted 
that NMFS should reconsider the exclusion of areas such as FORACS and 
SESEF based on these calculations. Baird also noted that the NDSA and 
Ewa Training Minefield, which were determined ineligible under 4(a)(3), 
also lie within the same important transit corridor off Oahu, and that 
NMFS should reconsider this decision in terms of the costs of not 
including these two areas in critical habitat. Comments received from 
NRDC also requested that we reconsider the exclusion of FORACS, SESEF, 
and Kingfisher in light of these areas being high transit areas.
    With regard to the six additional areas under consideration for 
exclusion, Baird noted that only one area, the Kaulakahi Channel 
Portion of W-186, represents an area that is likely not particularly 
important to the population. The other five areas, however, represent 
areas where MHI IFKWs spend a disproportionate amount of time. NRDC and 
the CBD also commented that the NMFS should not exclude the area south 
of Oahu, the Kaiwi Channel, or the Alenuihaha Channel due to the 
importance of areas to MHI IFKWs.
    Response: We have reanalyzed the areas under consideration for 
exclusion using the Navy's initial June 2017 request, as supplemented 
by its October 2017 input and Baird's updated satellite tracking 
information. As noted in the Draft ESA Section 4(b)(2) Report (NMFS 
2017b), for the proposed rule we relied on density analysis of 
satellite-tracking data to provide information about MHI IFKW habitat 
use, and the conservation value for high-use areas was inferred to be 
higher than low-use areas of the range. For particular areas of the 
range, we also used additional information (e.g., observational data of 
MHI IFKWs from boat surveys in portions of the MHI) that may supplement 
our current understanding of MHI IFKW habitat use patterns, because 
current information provides a limited representation for social 
clusters 2 and 4.
    To consider the conservation value of a particular area relative to 
other areas of the potential designation, we overlaid tracking 
information from Cascadia

[[Page 35074]]

Research Collective across the whole area under consideration for 
designation using the grid squares from the high-density areas analysis 
(from Baird et al. 2012). We calculated the number of times tagged 
animals passed through each grid square and used the standard deviation 
from these calculations to display travel areas from high to low across 
the range, similar to the high-density areas. We incorporated 
information relevant to travel within these areas into our 
considerations with regard to the benefits of designation, along with 
information that may supplement our knowledge of particular areas with 
regard to MHI IFKWs (see ESA Section 4(b)(2) Report for additional 
detail; NMFS 2018b).
    Looking at the maps of MHI IFKW high-density and travel 
information, FORACS includes areas that fall within low-use areas and 
moderate to low transit areas, and SESEF and Kingfisher generally fall 
within low-use areas and low transit areas. After taking into 
consideration DOD's use of the area (including the types of activities 
that occur here and the uniqueness of that activity), the likelihood of 
changes to the consultation, the level of protection already provided 
by management and the likelihood of non-DOD actions occurring in these 
areas, we confirm our initial finding that the benefits of excluding 
these areas for national security still outweigh the benefits of 
designation. While we recognize that travel to, from, and around 
habitat areas is important for these whales, we find that existing 
management protections provide adequate levels of protections for these 
sites and that Navy control and use of these areas is likely to deter 
other non-DOD actions that may otherwise require consultation in these 
particular areas. As such we have excluded these areas from the final 
designation.
    With regard to the six additional areas under consideration for 
exclusion, we reviewed each area consistent with the review of all 
other areas considered for national security exclusions for this rule. 
We agree with commenters that three of these areas (the area north and 
east of Oahu, the Kaiwi Channel, and the area south of Oahu) represent 
high-use or high to moderate travel areas for MHI IFKWs. However, the 
Kaulakahi Channel Portion of W-186, and the area north of Molokai fall 
within mostly low-use and low travel areas of the designation. 
Additionally, as noted in the Summary of Changes from the Proposed Rule 
section above, the Alenuihaha Channel request was reduced in geographic 
scope to only include those deeper areas of the Channel that support 
Undersea Warfare training, which only overlaps with low-use and low-
travel areas.
    For the Kaulakahi Channel Portion of W-186, the area north of 
Molokai, and the reduced Alenuihaha Channel area (NMFS 2018b), we found 
that the benefits of exclusion for national security outweigh the 
benefits of designating MHI IFKW critical habitat. We note that on June 
22, 2017, the Navy requested exclusion of these areas as a subset of 
the larger ``Entire Area'' and, in the case of the area north of 
Molokai, as a subset of the ``four islands region.'' NMFS initially 
proposed not to exclude these two larger units. Although the June 22, 
2017, request provided a full description of the defense activities in 
these areas (DON 2017a as referenced in NMFS 2017b), the Navy's 
supplemental submission in October 2017 helped improve our 
understanding of the geographic scope of the particular impacts to 
national security in the Kaulakahi Channel Portion of W-186 and the 
area north of Molokai (see Figure 2 of the proposed rule (82 FR 51186; 
November 03, 2017) and NMFS 2018b). Additionally, the Navy provided 
supplemental information regarding training activities in the 
Alenuihaha Channel, and clarified that its request for exclusion 
included only the deeper areas of the Channel that support Undersea 
Warfare training exercises. We also note that all three of these areas 
represent largely low-use and low-transit habitat and were identified 
as significant for Navy use and activities. Given our improved 
understanding of the defense activities conducted and the reduced size 
of the exclusions, we conclude that the benefits of exclusion outweigh 
the benefits of designating critical habitat, and that exclusions will 
not result in extinction of the species.
    With respect to the remaining three sites (the area north and east 
of Oahu, the Kaiwi Channel, and the area south of Oahu), we found that 
the benefits of designation outweighed the benefits of exclusion, 
largely because these areas represent high-use or high to moderate 
transit areas for MHI IFKWs and other non-DOD activities that may 
require consultation may occur in these areas.
    With regard to the comment on the Naval Defensive Sea Area and the 
Ewa Training Minefield, we refer to our response to Comment 12 
regarding our decision to find that the JBPHH INRMP provides a benefit 
to MHI IFKWs.
    Comment 17: We received comments from the MMC requesting that NMFS 
provide an opportunity for the public to comment on the inclusion or 
exclusion of any of the six areas that were still under consideration 
for national security exclusion for the Navy. Similarly, NRDC and CBD 
noted that the public should have the opportunity to comment on the 
exclusion of any of these areas, given the large size and overlap with 
significant proportion of the proposed critical habitat designation.
    Response: As explained above, we have exercised our discretion to 
exclude three of the six sites requested, the Kaulakahi Channel Portion 
of W-186, the area north of Molokai, and the reduced Alenuihaha Channel 
area (NMFS 2018b), because we find that the benefits of exclusion for 
national security outweigh the benefit of designating MHI IFKW critical 
habitat. As indicated above, on June 22, 2017, the Navy requested 
exclusion of these areas as a subset of a larger ``Entire Area''. The 
Navy also requested exclusion of the area north of Molokai as a subset 
of the larger ``four islands region''. In the proposed rule, we 
determined that these areas did not warrant exclusion as part of the 
larger units. While the Navy's June 22, 2017, request provided a full 
description of the defense activities conducted in these areas, the 
Navy's supplemental submission in October 2017 helped us reassess our 
initial decision in the context of a more spatially limited area. 
Additionally, the Navy clarified that it was only seeking exclusion of 
the deeper areas of the Alenuihaha Channel that support Undersea 
Warfare training exercises. Because in the proposed rule we identified 
both the national security importance of the areas as well as the 
Navy's supplemental request limiting the geographic scope of the 
requested exclusions, we are satisfied that the public was afforded a 
sufficient opportunity to comment on the proposed exclusions.
    Comment 18: We received several comments on the proposed exclusion 
related to the BOEM Call Area, found northwest and south of Oahu.
    The Navy submitted comments noting that, while the Navy supports 
the exclusion of areas suitable for renewable energy development, 
portions of the currently identified areas (BOEM Call Areas) are not 
suitable for renewable energy development, due to national security 
concerns. The Navy asserted that it is committed to bringing renewable 
energy to Oahu and has identified alternative locations which the Navy 
deems suitable. In support of identifying areas for renewable energy 
development, the Navy completed an assessment of areas (see http://greenfleet.dodlive.mil/rsc/department-of-the-navy-hawaii-offshore-wind-compatibility/) around Oahu, noting where commercial wind energy 
projects

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are not compatible with military activities and identifying only small 
sections of the two sites (i.e., two sections of the Call Area) that 
are compatible (DON 2016).
    Response: We understand that the Navy and BOEM continue to discuss 
areas that are suitable for military activities as well as offshore 
energy production and that, through these consultations, the most 
suitable sites will be selected for wind-energy development. However, 
in determining the economic costs of this designation, we rely on the 
best available information to identify where economic costs are likely 
to occur. The two sites noticed as the BOEM Call Area (81 FR 41335; 
June 24, 2016) remain significant in meeting Hawaii's renewable energy 
goals as these sites have been identified as areas where wind 
resources, water depth, and proximity to shore are favorable for wind-
energy development. Given that the boundaries of these two sites have 
not been revised and that the sites are noted as significant for energy 
development, we have weighed the benefit of excluding the BOEM Call 
Area based on the economic impacts that may result from this 
designation. After determining that economic benefits of exclusion 
outweigh the benefits of designation, we have excluded the BOEM Call 
Area from this critical habitat designation (see the Economic Impacts 
of Designation section).
    Comment 19: Several other comments (received from the MMC; NRDC and 
CBD (in a joint letter); and the Humane Society of the United States, 
the Humane Society Legislative Fund, and Whale and Dolphin Conservation 
(in a joint letter)) expressed disagreement with NMFS' weighing of the 
benefits of exclusion versus the benefits of designation for the BOEM 
Call Area and recommended that NMFS not exclude the sites from critical 
habitat. Among these, several comments noted that the benefits of 
exclusion do not appear to outweigh the benefits of designation, 
particularly because these areas represent rather large sections of 
habitat, which additional satellite tracking information suggests is 
important to MHI IFKWs for travel. Comments noted the scientific 
uncertainty about the effects of renewable energy and large-scale in-
water projects on MHI IFKWs and their habitat and noted that these 
factors should favor providing additional protections for the habitat 
of an endangered DPS with a restricted range.
    In recommending that NMFS not exclude this area, the MMC noted that 
NMFS should only consider exclusion in instances in which the exclusion 
would not result in the extinction of the DPS and noted that, due to 
the precarious status of IFKWs, the apparent importance of its entire 
range to its continued existence, and NMFS' inability to identify which 
factor or factors caused the population to decline in the past and may 
continue to threaten its persistence, the exclusion of any of the areas 
proposed as critical habitat from the final designation could 
contribute to the population's eventual extirpation.
    Response: As noted in our response above, we have excluded the BOEM 
Call Area (both of the sites northwest and south of Oahu) from this 
designation (see the Economic Impacts of Designation section) 
Generally, these areas include low-use and lower transit areas for MHI 
IFKWs, although small areas of overlap occur with moderate transit 
areas along the northeast tip and eastern edge of the south Oahu area. 
As noted in the ESA Section 4(b)(2) Report, NMFS is satisfied that 
there are sufficient pathways within critical habitat to allow for 
unimpeded transit for MHI IFKWs and that the small overlap in this area 
will not significantly impede MHI IFKW movement to other areas of 
critical habitat, due to the relatively small size of this overall 
exclusion (NMFS 2018b). Although large in-water construction projects 
are an activity of concern for this DPS, consultations required to 
ensure that activities are not likely to jeopardize the MHI IFKWs are 
expected to achieve substantially the same conservation benefits of 
designating this area as critical habitat for this DPS. Moreover, 
Federal activities in this area for wind energy development are not 
expected to result in destruction or adverse modification of MHI IFKW 
critical habitat.
    Given the significance of this offshore area in supporting 
renewable energy goals for the State of Hawaii and the goals of 
Executive Order 13795, the low administrative costs of this 
designation, the existing baseline protections, and the low-use by MHI 
IKFWs, we find that the benefits of exclusion of this area outweigh the 
benefits of designation. Based on our best scientific judgment and 
acknowledging the relatively small size of the area (approximately 0.2 
percent of the overall designation), and other safeguards that are in 
place (e.g., protections already afforded MHI IFKWs under its ESA 
listing, or regulatory efforts that provide ancillary protections to 
water quality and prey characteristics, such as the Clean Water Act as 
amended by the Oil Pollution Act, or the Magnuson-Stevens Fishery 
Conservation and Management Act), we find that exclusion of this area 
will not result in the extinction of the species.
    Furthermore, we conclude that none of the exclusions will result in 
extirpation of the species. As previously noted, this population and 
its habitat benefit throughout its range from other protections under 
the ESA as well as other statutes and their regulations. In addition, 
the exclusions outlined in this rule are limited in scope and include 
habitat that is of lower conservation value for this population. Thus, 
this designation provides protections throughout the core portions of 
the MHI IFKWs' range and in areas of high conservation value.
    Comment 20: One comment expressed concerns that the BOEM Call Area 
identified for exclusion could be subject to changes after the public's 
ability to comment and noted that it was not clear if the public will 
have an opportunity to see and comment on any changes that could 
adversely affect protection of the area critical to the survival of 
this DPS.
    Response: As noted in our responses above, we are excluding the 
BOEM Call Area that was noticed in our proposed rule and, as a result, 
revisions have not been made to the boundaries. While we recognize that 
ongoing negotiations between the Navy and BOEM and additional public 
participation may result in future Call Area boundary changes, we base 
our decision on the best information currently available and do not 
speculate on revisions that may occur in the future. The basis for our 
excluding this area for economic impacts has not changed from the 
proposed rule (see the Economic Impacts of Designation section).
    Comment 21: One comment noted that designation of critical habitat 
in these areas will benefit BOEM, the State of Hawaii, and prospective 
offshore wind developers by raising awareness that the endangered MHI 
IFKW may be regularly transiting through the site and allowing these 
groups to appropriately evaluate the risks of any prospective 
development.
    Response: We agree with the commenter's assertion that the 
designation of critical habitat will raise awareness and provide public 
education benefits regarding habitat use of MHI IFKWs (Cardno 2018), 
and will allow prospective developers to evaluate the risks of 
developing in particular areas of this designation. However, as more 
fully described above, we also found that for the BOEM Call Area, the 
benefits of exclusion outweigh the benefits of designation and that 
exclusion of this mostly low-use area of habitat will not result in 
extinction of this DPS.

[[Page 35076]]

    Comment 22: We received comments that expressed concern as well as 
confusion about the areas being proposed for exclusion and the 
protections associated with critical habitat. One commenter expressed 
concern that a fractured critical habitat designation, due to 
exclusions, would not provide benefits to MHI IFKWs. Another commenter 
disagreed with the exemption of military agencies from this rule and 
noted that the military should be required to obtain permission to 
conduct projects within critical habitat. A third commenter noted that 
loud anthropogenic noise created from military activities are in 
violation of the Marine Mammal Protection Act because it can cause 
damage to the whales' echolocation system. This commenter suggested 
that NMFS take into consideration a study by Nachtigall and Supin 
(2013) on the effects of the louder sounds on false killer whale 
echolocation systems.
    Response: The 4(b)(2) exclusion process allows us to consider the 
benefits of designating critical habitat compared with the benefit of 
excluding particular areas due to economics, national security, or 
other relevant impacts, as long as the exclusion of that area will not 
result in extinction of the species. Although we have excluded certain 
areas from designation, ESA protections still apply to MHI IFKWs 
wherever the species is found (including the excluded areas) due to 
their listing, and all Federal agencies (including military agencies) 
that authorize, fund, or carry out activities in these areas will still 
be subject to section 7 consultation to ensure that their activities 
are not likely to jeopardize the continued existence of the species. It 
is through this consultation process that the effects of sound, as well 
as other effects of the action on individuals and the population are 
considered. Further, there are often other regulatory protections for 
marine habitat that will support to some degree the characteristics and 
feature of MHI IFKWs critical habitat (e.g., the Clean Water Act and 
the Magnuson-Stevens Fishery Conservation and Management Act). Based on 
these underlying protections and the designation of critical habitat, 
which still includes large contiguous portions of high and low-use 
habitat, we conclude that MHI IFKWs will benefit from this designation. 
See the Benefits of the Designation section and the Economic Report 
(Cardno 2018) for further detail regarding direct and ancillary 
benefits of designation.
    With regard to the comments about requiring permission and 
minimizing the impacts of sound, we also refer back to our response to 
Comment 1, which explains that military activities already undergo 
consultation to minimize the impacts of their activities and ensure 
they are not likely to jeopardize the species. Specifically, military 
readiness activities in the Hawaii Range Complex are subject to a 5-
year MMPA incidental take authorization for marine mammals, which is 
subject to ESA consultation. These review and consultation efforts 
under the ESA and MMPA help to identify management or mitigation that 
may be necessary to minimize adverse impacts to MHI IFKWs, and such 
analyses include reviews of the best scientific information available, 
including works such as Nachtigall and Supin (2013), to help identify 
mitigation measures. MHI IFKW critical habitat will establish an 
additional consideration to the existing ESA section 7 consultation 
process in designated areas.

Comments on the Biological Report

    Comment 23: We received comments referring to figures used in the 
Biological Report. One comment noted that the report illustrates the 
boundaries of the critical habitat but fails to indicate that areas 
would be excluded. This comment recommended that NMFS avoid public 
confusion about the actual designation by including maps that depicted 
the full designation, including all exclusions, in this report. A 
comment also requested that we re-examine more recent data when 
reviewing habitat use by this DPS. This comment noted that a figure 
from Baird et al. (2015) shows areas of higher habitat use that are not 
reflected in Figure 4 of the Biological Report.
    Response: The Biological Report is completed prior to analyses 
pursuant to 4(b)(2) and 4(a)(3) of the ESA, and provides information 
from the critical habitat review team about features and areas that 
meet the ESA definition of critical habitat as a first step in the 
determination process. Only after these areas are identified can we 
determine which areas warrant consideration under 4(a)(3) or 4(b)(2) of 
the ESA. That said, we understand the commenter's concerns regarding 
how maps in this report may mistakenly be taken for the final 
designation. To clarify this point, we have revised the captions to 
these maps (in the Biological Report) indicating that this is not the 
final designation and point the reader to the final rule. With regard 
to the request to use the most recent information, we note that our 
information has been updated to include satellite tracking information 
as of the beginning of January 2018, and we used this updated 
information to supplement other data upon which we based our exclusions 
under 4(b)(2) (NMFS 2018b). However, we also wish to clarify that the 
information used in Baird et al. (2015) relies on one standard 
deviation from the mean to identify biologically import areas, whereas 
we have relied on the methods used in Baird et al. (2012) using two 
standard deviations from the mean to indicate areas of high use.

Other Comments

    Comment 24: We received recommendations from DAR that NMFS hold 
public hearings on the Kauai, Maui, and Hawaii Islands, in addition to 
the one hearing that was held on Oahu. With IFKW high-use areas off 
Hawaii, Northern Molokai, and around the Maui-Nui complex, DAR noted 
that potential impacts of the proposed designation could be greater for 
those islands, and that these people should have the opportunity to be 
heard in the process.
    Response: The public comment period was open for 60 days and, and 
consistent with 50 CFR 424.16(c), NMFS gave notice of and held one 
public hearing on the proposed action on the island of Oahu. The 60-day 
comment period provided ample time and opportunity for the public to 
provide comments electronically or by mail. It should be noted that 
comments submitted electronically or by mail have the same weight as 
comments made in public hearings. We held the public hearing in 
Honolulu, not only because this location is centralized for a majority 
of the state's population, but also because our Economic Report 
indicated that a majority of the Federal action agencies, regulated 
entities, and individual applicants affected by this designation are 
located on Oahu. In contrast to DAR's statement of concern, we did not 
find that impacts were likely to be greatest along MHI IFKWs' high-use 
areas, because these areas do not coincide with areas of high-use for 
Federal activities, such as offshore development. Aside from this 
comment, we received no requests for public hearings in other areas of 
the State and found no additional information to suggest that impacts 
would be higher near MHI IFKWs' high-use areas.
    Comment 25: Comments from the Council stated that critical habitat 
designations for marine species provide little conservation benefit for 
the species unless habitat-related factors are known to be inhibiting 
recovery, and that NMFS did not identify anthropogenic

[[Page 35077]]

activities that are likely to negatively affect the habitat's essential 
features. Accordingly, the Council suggested that, similar to NMFS' 
finding for the exclusion of renewable energy areas, section 7 analysis 
associated with the listing of the MHI IFKW DPS should provide 
substantially the same conservation benefits for most Federal 
activities, including fisheries.
    Response: As noted in the Special Management Considerations or 
Protections section of this rule and the Biological Report, MHI IFKWs 
do face habitat-related threats (NMFS 2018a). As such, we identified 
anthropogenic activities that are likely to negatively affect the 
habitat's essential features. Further, as noted in our response to 
Comment 3 above, multiple threats often act as obstacles to recovery, 
requiring that a suite of measures be taken to ensure that imperiled 
species are able to increase in number and eventually thrive. Critical 
habitat designations provide important details about habitat 
characteristics and the conservation value of habitat, which, in turn, 
serve as valuable planning tools for ensuring that Federal planning and 
development do not limit recovery for the species. While we found that 
the section 7 analysis associated with listing would provide 
substantially the same conservation benefits within the BOEM Call Area, 
we caution that this finding was site-specific and activity-specific 
and may not be true across all areas of the designation or from 
activity to activity.

Critical Habitat Identification

    In the following sections, we describe the relevant definitions and 
requirements in the ESA and our implementing regulations, and the key 
information and criteria used to prepare this critical habitat 
designation. In accordance with section 4(b)(2) of the ESA and our 
implementing regulations at 50 CFR part 424, this final rule is based 
on the best scientific data available.
    To assist with identifying potential MHI IFKW critical habitat 
areas, we convened a critical habitat review team (CHRT) consisting of 
five agency staff with experience working on issues related to MHI 
IFKWs and Hawaii's pelagic ecosystem. The CHRT used the best available 
scientific data and its best professional judgment to (1) determine the 
geographical area occupied by the DPS at the time of listing, (2) 
identify the physical and biological features essential to the 
conservation of the species, and (3) identify specific areas within the 
occupied area containing those essential physical and biological 
features. The CHRT's evaluation and recommendations are described in 
detail in the Biological Report (NMFS 2018a). Beyond the description of 
the areas, the critical habitat designation process includes two 
additional steps (although these are not conducted by the CHRT): (1) 
Identify whether any area may be precluded from designation because the 
area is subject to an INRMP that we have determined provides a benefit 
to the DPS, and (2) consider the economic, national security, or any 
other impacts of designating critical habitat and determine whether to 
exercise our discretion to exclude any particular areas. These 
considerations are described further in the Final ESA Section 4(b)(2) 
Report (NMFS 2018b), and economic impacts of this designation are 
described in detail in the Final Economic Report (Cardno 2018).

Physical and Biological Features Essential for Conservation

    The ESA does not specifically define physical or biological 
features; however, court decisions and joint NMFS-USFWS regulations at 
50 CFR 424.02 (81 FR 7413; February 11, 2016) provide guidance on how 
physical or biological features are expressed.
    Physical and biological features support the life-history needs of 
the species including, but not limited to, water characteristics, soil 
type, geological features, sites, prey, vegetation, symbiotic species, 
or other features. A feature may be a single habitat characteristic, or 
a more complex combination of habitat characteristics that support 
ephemeral or dynamic habitat conditions. Features may also be expressed 
in terms relating to principles of conservation biology, such as patch 
size, distribution distances, and connectivity. Features may constitute 
combinations of habitat characteristics, and may encompass the 
relationship between characteristics or the necessary amount of a 
characteristic needed to support the life history of the species.
    Based on the best available scientific information and in response 
to public comments, the CHRT identified the specific biological and 
physical feature essential for the conservation of the Hawaiian IFKW 
DPS, as the following: Island-associated marine habitat for MHI insular 
false killer whales.
    MHI IFKWs are island-associated whales that rely entirely on the 
productive submerged habitat of the main Hawaiian Islands to support 
all of their life-history stages. The following characteristics of this 
habitat support insular false killer whales' ability to travel, forage, 
communicate, and move freely around and among between the main Hawaiian 
Islands:
    (1) Adequate space for movement and use within shelf and slope 
habitat--As large marine predators, MHI IFKWs are highly mobile, 
employing a foraging strategy that includes circumnavigating the 
islands and moving throughout their range. Generally found in deeper 
waters just offshore of the MHI, these whales move primarily throughout 
and among the shelf and slope habitat on both the windward and leeward 
sides of all the islands. This generally includes depths ranging from 
45 m to 3,200 m. Available data indicates that habitat use is not 
uniform in waters that surround the islands, and may be concentrated in 
certain areas (often described as high-use or high-density areas) that 
are likely to provide greater foraging success than other areas, and 
that high-use areas may be specific to certain social clusters.
    Human activities can interfere with movement of the whales and 
adversely affect their ability to travel to and move throughout areas 
of high-use. In particular, large marine structures or long-term 
acoustic disturbance may present obstacles to whale movement. These 
obstacles could cause the whales to swim further to reach high-use 
areas, expending additional energy and displacing these whales into 
waters farther from shore. In severe cases, such obstacles may cause 
the whales to abandon areas of concentrated use.
    (2) Prey species of sufficient quantity, quality, and availability 
to support individual growth, reproduction, and development, as well as 
overall population growth.
    MHI IFKWs are top predators that feed on a variety of large pelagic 
fish and squid. Prey preference and relative importance is still 
difficult to determine for this population; however, commonly described 
prey species from observations include large game fish such as mahi 
mahi, wahoo, yellowfin tuna, albacore tuna, skipjack tuna, broadbill 
swordfish and threadfin jack. In addition, analyses from recent 
strandings of insular false killer whales suggest that some species of 
squid may play a role in the IFKW diet.
    Sustained decreases in prey quantity and availability in island-
associated waters can decrease foraging success of these whales and 
eventually lead to reduced individual growth, reproduction, and 
development. Additionally, factors that reduce prey size and introduce 
or increase contaminant or toxin levels reduce the quality of prey for 
these whales. Decreased prey size reduces the energetic value gained, 
while

[[Page 35078]]

contaminants and toxins introduced through prey consumption may put 
these whales' individual health or reproduction at risk.
    (3) Waters free of pollutants of a type and amount harmful to MHI 
insular false killer whales.
    Pollutants that reach Hawaii's marine waters through point source 
and nonpoint source pollution have the potential to degrade the water 
quality or prey quality and increase the health risks to MHI IFKWs. As 
a long-lived, top marine predator, water quality plays an important 
role in supporting the MHI IFKWs' ability to forage and reproduce free 
from disease and impairment. Environmental contaminants, such as 
organochlorines, heavy metals, and other chemicals that persist and 
accrue in waters surrounding the MHI, accumulate in prey species and 
subsequently in MHI IFKWs. Biomagnification of some pollutants can 
adversely affect health in these top marine predators, causing immune 
suppression, decreased reproduction, or other impairments. Water 
pollution and changes in water temperatures may also increase 
pathogens, naturally occurring toxins, or parasites in surrounding 
waters. MHI insular false killer whales' may be exposed to these 
infectious or harmful agents (such as bacteria, viruses, toxins, or 
parasites) either through their prey or directly through ingestion of 
contaminated waters. Exposure to water pollutants are known to 
adversely affect the health and reproduction of cetaceans, including 
false killer whales.
    (4) Sound levels that would not significantly impair false killer 
whales' use or occupancy.
    For the purposes of this final rule, noises that would 
significantly impair use or occupancy are those that inhibit MHI IFKW's 
ability to receive and interpret sound for the purposes of navigation, 
communication, and detection of predators and prey. Such noises are 
likely to be long-lasting, continuous, and/or persistent in the marine 
environment and, either alone or added to other ambient noises, 
significantly raise local sound levels over a significant portion of an 
area.
    False killer whales rely on their ability to produce and receive 
sound within their environment to navigate, communicate, and detect 
predators and prey. With a foraging strategy that is adapted to the 
shelf and slope habitat of the MHI, these large marine predators travel 
in subgroups that are dispersed from each other but converge when prey 
resources are found. Accordingly, these animals rely on their ability 
to receive and interpret acoustic cues to find prey at a distance and 
convey information about available prey resources to other dispersed 
subgroups of IFKWs. Habitats that contribute to the conservation of MHI 
IFKWs allow these whales to employ underwater sound in ways that 
support important life history functions, such as foraging and 
communicating.
    A large body of scientific information on the effects of 
anthropogenic noise on the behavior and distribution of toothed whales, 
including false killer whales, demonstrates that the presence of 
anthropogenic noise can adversely affect the value of marine habitat to 
MHI IFKWs (Shannon et al. 2015, Erbe et al. 2016, Gedamke et al. 2016, 
Hatch et al. 2016). Of particular concern are those noises that are 
chronic or persistent and cause cumulative interference such that the 
animals' ability to receive benefits (e.g., opportunities to forage or 
reproduce) from these habitats is sufficiently inhibited.
    How human activities that introduce noise in the environment might 
change the animals' use of habitat and the determination of the 
biological significance of that change can be complex and involve 
consideration of site specific variables, including: The 
characteristics of the introduced sound (frequency content, duration, 
and intensity); the physical characteristics of the habitat; the 
baseline soundscape; and the animal's use of that habitat. NMFS will 
continue to use the best scientific information available to analyze 
chronic or persistent noise sources and determine whether they degrade 
listening conditions within habitat for the IFKW, including but not 
limited to, the Technical Guidance for Assessing the Effects of 
Anthropogenic Sound on Marine Mammal Hearing, (81 FR 51693; August 04, 
2016; NMFS 2016b, or replacement publications).

Geographical Area Occupied by the Species

    The first steps in the critical habitat revision process is to 
define the geographical area occupied by the species at the time of 
listing, and to identify specific areas within this geographical area 
that contain at least one of the essential features that may require 
special management considerations or protection. As noted earlier, the 
best available information indicates that the range of this DPS is 
smaller than the range identified at the time of listing (77 FR 70915, 
November 28, 2012; Bradford et al., 2015). After reviewing available 
information, the CHRT noted, and we agree, that the range proposed by 
Bradford et al. (2015) and recognized in the 2015 NMFS Stock Assessment 
Report provides the best available information to describe the areas 
occupied by this DPS. This is because this range includes all locations 
that tagged animals have visited in Hawaii's surrounding waters and 
accommodates for uncertainty in the data. Therefore, the area occupied 
by the DPS is the current range as identified in the 2015 SAR, which 
includes 188,262 km\2\ (72,688 mi\2\) of marine habitat surrounding the 
MHI (Carretta et al., 2016).

Areas Under Consideration for Critical Habitat

    To be eligible for designation as critical habitat under the ESA's 
definition of occupied areas, each specific area must contain at least 
one essential feature that may require special management 
considerations or protection. To meet this standard, the CHRT concluded 
that false killer whale tracking data would provide the best available 
information to identify habitat use patterns by these whales and to 
recognize where the physical and biological features essential to their 
conservation exist. Cascadia Research Collective provided access to MHI 
IFKW tracking data for the purposes of identifying critical habitat for 
this DPS. Due to the unique ecology of this island-associated 
population, habitat use is largely driven by depth. Thus, the features 
essential to the species' conservation are found in those depths that 
allow the whales to travel throughout a majority of their range seeking 
food and opportunities to socialize and reproduce.
    One area has been identified as including the essential feature for 
the MHI IFKW DPS. This area ranges from the 45-m depth contour to the 
3,200-m depth contour in waters that surround the MHIs from Niihau east 
to the Island of Hawaii (see the Biological Report for additional 
detail; NMFS 2018a). MHI IFKWs are generally found in deeper areas just 
offshore (Baird et al., 2010). For the proposed rule, MHI IFKW tracking 
locations were used to identify a nearshore depth at which habitat use 
by MHI IFKWs is fairly consistent. Specifically, MHI IFKW locations 
were found to be infrequent at depths less than 45 m (less than 2 
percent of locations are captured at these depths), and a spatial 
pattern was not evident in shallower depth locations (i.e., locations 
were not clumped in specific areas around the MHI). Because the 
frequency of MHI IFKW locations increased at depths greater than 45 m 
and appeared to demonstrate more consistent use of marine habitat 
beyond this depth, the 45-m depth contour was selected to delineate the 
inshore extent of areas that

[[Page 35079]]

would include the proposed essential features for MHI IFKWs. An outer 
boundary of the 3,200-m depth contour was selected to incorporate those 
areas of island-associated habitat where MHI IFKWs are known to spend a 
larger proportion of their time, and to include island-associated 
habitat that allows for movement between and around each island.
    In response to some public comments that suggested we choose 
different boundaries for this designation (see Comment 9 and response), 
we re-analyzed the data used to select the boundaries for this 
designation, and also analyzed new satellite information received from 
Cascadia Research Collective.
    Review of this information revealed that 2.5-3.8 percent of 
satellite-tag location data were shallower than 45 m across the islands 
(the higher percentage includes points located on land, which likely 
fall into shallow locations due to the error associated with these 
points). When shallow points were mapped across the islands (using 
GIS), clear spatial patterns were not evident across all islands; for 
some islands shallower use was seen around a good portion of the island 
(e.g., Oahu), while for other islands use seemed to vary along 
different portions of the coastline. In addition to considering depth 
around each island, we reviewed distance from shore and found disparate 
patterns ranging from 500 m offshore to over 1,200 m offshore. Looking 
across the islands as a whole, 45 m remained a depth at which frequency 
of satellite-tag location data increased and remained more consistent.
    Throughout this review we considered whether prescribing a 
different depth or distance from shore for each island would provide 
more clarity about MHI IFKW habitat use or for management of their 
habitat around each island; however, it was not clear that prescribing 
island-specific boundaries would better match how these animals use 
Hawaiian waters. Given the population's non-uniform treatment of 
habitat around each island, splitting these points by island may not 
partition the habitat in manner that is ecologically meaningful.
    As noted above, these whales move great distances throughout the 
MHI, moving back and forth between areas off multiple islands. NMFS 
found that the 3,200 m depth boundary best aligns with the span of 
habitat used on the leeward and windward sides of the islands, allowed 
for ample space for these whales to move among areas of concentrated or 
high-use, and included habitat across the core portions of the range.
    At this time we find that the current delineation of 45-3,200 m 
allows for travel around and among the islands and incorporates our 
objectives of selecting an inner boundary and outer boundary where MHI 
IFKWs are most likely to be found. The full range of depths--from the 
45-m to the 3,200-m depth contours--incorporates approximately 90 
percent of the tracking locations of MHI IFKW and includes the feature 
and characteristics essential to the conservation of the MHI IFKWS DPS. 
The area that was under consideration for critical habitat included 
56,821 km\2\ (21,933 mi\2\) or 30 percent of the MHI IFKW DPS' range.

Need for Special Management Considerations or Protection

    Joint NMFS and USFWS regulations at 50 CFR 424.02 define special 
management considerations or protection to mean methods or procedures 
useful in protecting physical and biological features essential to the 
conservation of listed species.
    Several activities were identified that may threaten the physical 
and biological feature essential to conservation such that special 
management considerations or protection may be required. This is based 
on information from the MHI IFKW Recovery Outline, Status Review for 
this DPS, and discussions from the Main Hawaiian Islands Insular False 
Killer Whale Recovery Planning Workshop (NMFS 2016a, Oleson et al., 
2010, NMFS 2016c). Major categories of activities include (1) in-water 
construction (including dredging); (2) energy development (including 
renewable energy projects); (3) activities that affect water quality; 
(4) aquaculture/mariculture; (5) fisheries; (6) environmental 
restoration and response activities (including responses to oil spills 
and vessel groundings, and marine debris clean-up activities); and (7) 
some military readiness activities. All of these activities may have an 
effect on one or more characteristics of the essential feature by 
altering the quantity, quality or availability of the features that 
support MHI IFKW critical habitat. This is not an exhaustive or 
complete list of potential effects; rather it is a description of the 
primary concerns and potential effects that we are aware of at this 
time and that should be considered in accordance with section 7 of the 
ESA when Federal agencies authorize, fund, or carry out these 
activities. The Biological Report (NMFS 2018a) and Economic Analysis 
Report (Cardno 2018) provide a more detailed description of the 
potential effects of each category of activities and threats on the 
essential features. For example, activities such as in-water 
construction, energy projects, aquaculture projects, and some military 
readiness activities may have impacts on one or more characteristics of 
the essential feature.

Unoccupied Critical Habitat Areas

    Section 3(5)(A)(ii) of the ESA authorizes the designation of 
specific areas outside the geographical area occupied at the time the 
species is listed, if the Secretary determines ``that such areas are 
essential for the conservation of the species.'' There is insufficient 
evidence at this time to indicate that areas outside the present range 
are essential for the conservation of this DPS; therefore, no 
unoccupied areas were identified for designation.

Application of ESA Section 4(a)(3)(B)(i) (Military Lands)

    Section 4(a)(3)(B) of the ESA prohibits designating as critical 
habitat any lands or other geographical areas owned or controlled by 
DOD, or designated for its use, that are subject to an INRMP prepared 
under section 101 of the Sikes Act (16 U.S.C. 670a), if the Secretary 
determines in writing that such a plan provides a benefit to the 
species for which critical habitat is proposed for designation.
    Regulations at 50 CFR 424.12(h) provide that in determining whether 
an applicable benefit is provided by a ``compliant or operational'' 
plan, we will consider the following:
    (1) The extent of the area and features present;
    (2) the type and frequency of use of the area by the species;
    (3) the relevant elements of the INRMP in terms of management 
objectives, activities covered, and best management practices, and the 
certainty that the relevant elements will be implemented; and
    (4) the degree to which the relevant elements of the INRMP will 
protect the habitat from the types of effects that would be addressed 
through a destruction-or-adverse-modification analysis.
    NMFS can find that an INRMP provides a benefit to a species where, 
as here, the species is not directly addressed in the INRMP. In these 
cases, we consider adaptive conservation management for the features 
essential to the conservation of the species (i.e., its habitat 
features) or the species itself either directly or indirectly. We also 
consider whether adaptive conservation management measures are 
effective and reasonably certain to be implemented.

[[Page 35080]]

    The JBPHH INRMP overlaps with the areas under consideration for 
critical habitat in two areas, the Naval Defensive Sea Area and the Ewa 
Training Minefield, which include approximately 27 km\2\ (~10 mi\2\) of 
area or approximately 0.5 percent of the areas under consideration for 
critical habitat. Based on our review of relevant data, including 
supplemental satellite-tracking information from Cascadia Research 
Collective (3 new animals), we consider these areas to be low-use (low-
density) areas for MHI IFKWs, and note that they travel through these 
areas at moderate levels (see Figure 4 of the ESA Section 4(b)(2) 
Report). We therefore consider these areas to be of low to moderate 
conservation value to MHI IFKWs in comparison to other areas meeting 
the definition of MHI IFKW critical habitat.
    In May 2017, we requested information from the DOD to assist in our 
analysis. Specifically, we asked for a list of facilities that occur 
within potential critical habitat areas and available INRMPs for those 
facilities. The U.S. Navy stated that areas subject to the JBPHH INRMP 
overlap with the areas under consideration for MHI IFKW critical 
habitat; no other INRMPs were identified as overlapping with the 
potential designation. This INRMP was drafted prior to the ESA listing 
of the MHI IFKW and did not incorporate conservation measures that are 
specific to MHI IFKWs. The plan was compliant through the end of 2017; 
and although its five-year review as to operation and effect is late, 
the INRMP remains funded and effective. The Navy continues to implement 
and report on conservation measures outlined in the JBPHH INRMP and is 
currently reviewing and updating the INRMP with a goal of finishing in 
December 2018.
    In the response to NMFS' request for information about this INRMP, 
the Navy outlined several elements of the 2011 INRMP's implemented and 
ongoing conservation measures that may benefit the MHI IFKW and their 
habitat (with the characteristic of the essential element that is 
addressed): Fishing restrictions adjacent to and within areas that 
overlap the potential designation (prey), creel surveys that provide 
information about fisheries in unrestricted areas of Pearl Harbor 
(prey), restrictions on free roaming cats and dogs in residential areas 
(water free of pollutants), feral animal removal (water free of 
pollutants), participation in the Toxoplasmosis and At-large Cat 
Technical Working Group (which focuses on providing technical 
information to support policy decisions to address the effects of 
toxoplasmosis on protected wildlife and provides education and outreach 
materials on the impacts that free-roaming cats have on Hawaii's 
environment; waters free of pollutants), efforts taken to prevent and 
reduce the spread of biotoxins and contaminants from Navy lands 
(including best management practices, monitoring for contamination, 
restoration of sediments, and spill prevention; waters free of 
pollutants), a Stormwater Management Plan and a Stormwater Pollution 
Control Plan associated with their National Pollutant Discharge 
Elimination System (waters free of pollutants), and coastal wetland 
habitat restoration projects (waters free of pollutants) (DON 2017a). 
Although the 2011 JBPHH INRMP does not specifically address the MHI 
IFKW, several of the above measures support the protection of the IFKW 
and the physical and biological feature identified for this 
designation. Specifically, the Navy's efforts that focused on 
preventing the spread of toxoplasmosis, biotoxins, and other 
contaminants to the marine environment provide protections for MHI IFKW 
water quality and address threats to this feature characteristic; these 
threats are identified in our Draft Biological Report (NMFS 2017a). 
Further, efforts to support coastal wetland habitat restoration provide 
protections for MHI IFKW water quality and provide ancillary benefits 
to MHI IFKW prey, which also rely on these marine ecosystems. 
Additionally, fishery restrictions in the NDSA and Ewa Training 
Minefield provide protections to MHI IFKW prey within the limited 
overlap areas. Some of the protections associated with the management 
of stormwater and pollution address effects that would otherwise be 
addressed through an adverse modification analysis. Other protections 
associated with the spread of toxoplasmosis to the marine environment 
or that enhance prey, address effects to MHI IFKW habitat that 
otherwise may not be subject to a section 7 consultation. In these 
instances, the Navy's INRMP provides protections aligned with 7(a)(1) 
of the ESA, which instructs Federal agencies to aid in the conservation 
of listed species.
    As part of an adaptive management approach for this INRMP, NMFS 
staff participates in JBPHH INRMP annual reviews to provide 
recommendations about plan implementation and effectiveness and to 
receive information about upcoming plan amendments. These reviews help 
ensure that the plan provides an effective mechanism for addressing MHI 
IFKW conservation within areas managed under the JBPHH INRMP. 
Specifically, the reviews provide a reliable method for feedback, 
regular assurances that the above-described conservation measures are 
being implemented, and a procedure for assessing and modifying measures 
to ensure conservation effectiveness.
    Although not essential to our determination that the JBPHH INRMP 
provides a benefit to the MHI IFKW, we also take into consideration 
additional future measures that the Navy plans to include in updates to 
the INRMP by December 2018. These expected additional measures include 
(1) specific information about MHI IFKWs, (2) where MHI IFKWs may be 
found in areas managed by the installation, (3) new projects associated 
with watershed enhancement, and (4) mandatory mitigation measures 
already used by the Pacific Fleet to minimize impacts to MHI IFKWs as 
they use these areas. Procedural mitigation measures are mandatory 
activity-specific measures taken to avoid or reduce the potential 
impacts on biological resources from stressors, including those that 
may cause acoustic or physical disturbance to marine mammals during 
Navy training and testing. These procedural measures are required in 
the Navy's Protective Measures Assessment Protocol consistent with 
letters of authorization for training activities issued under the MMPA 
and supporting ESA analyses. Procedural mitigation measures are 
adaptively managed as new information becomes available about effective 
mitigation techniques, and are identified in the current Hawaii-
Southern California Training and Testing Final Environmental Impact 
Statement. Examples of measures include training personnel to spot and 
identify marine mammals (lookouts), reporting requirements for trained 
lookouts, and halt or maneuvering requirements when marine mammals are 
spotted within identified mitigation zones of Navy activities (DON 
2017c). Although not restricted to the JBPHH areas, these mandatory 
mitigation measures help ensure that the Navy will avoid or reduce the 
impacts from acoustic stressors on MHI IKFWs. These measures will be 
reflected in the INRMP by December 2018. Additionally, the Navy's 
continued efforts towards understanding the baseline conditions of 
Pearl Harbor (and associated watersheds) and improving water quality in 
this area will also support the prey and water free of pollutants 
characteristics of MHI IFKW habitat.
    After consideration of the above factors, we determined that the 
Navy's

[[Page 35081]]

JBPHH INRMP provides a benefit to the MHI IFKW and its habitat. In 
accordance with 4(a)(3)(B)(i) of the ESA, areas managed under this 
INRMP are not eligible for the designation of MHI IFKW critical 
habitat. Therefore, the Ewa Training Minefield and the Naval Defense 
Sea Area, both found south of Oahu, are not eligible for designation.

Application of ESA Section 4(b)(2)

    Section 4(b)(2) of the ESA requires the Secretary to consider the 
economic, national security, and any other relevant impacts of 
designating any particular area as critical habitat. Any particular 
area may be excluded from critical habitat if the Secretary determines 
that the benefits of excluding the area outweigh the benefits of 
designating the area. The Secretary may not exclude a particular area 
from designation if exclusion will result in the extinction of the 
species. Because the authority to exclude is discretionary, exclusion 
is not required for any areas. In this designation, the Secretary has 
applied statutory discretion to exclude 14 (1 area, with two sites, for 
economic exclusion and 13 areas for national security exclusion) 
occupied areas from critical habitat where the benefits of exclusion 
outweigh the benefits of designation for the reasons set forth below.
    In preparation for the ESA section 4(b)(2) analysis, we identified 
the ``particular areas'' to be analyzed. The ``particular areas'' 
considered for exclusion are defined based on the impacts that were 
identified. We considered economic impacts and weighed the economic 
benefits of exclusion against the conservation benefits of designation 
for two particular areas where economic impacts were identified as 
being potentially higher than the costs of administrative efforts and 
where impacts were geographically concentrated. We also considered 
exclusions based on impacts on national security. Delineating 
particular areas with respect to consideration of national security 
impacts was based on land ownership or control (e.g., land controlled 
by the DOD within which national security impacts may exist) or on 
areas identified by DOD as supporting particular military activities. 
For each particular area we identified the impacts of designation 
(i.e., the economic costs of designation or impacts to national 
security). These impacts of designation are equivalent to the benefits 
of exclusion. We also consider the benefits achieved from designation 
or the conservation benefits that may result from a critical habitat 
designation in that area. We then weigh the benefits of designation 
against the benefits of exclusion. Where the benefits of exclusion 
outweigh the benefits of designation, the area is excluded from 
critical habitat as long as we determine that such exclusion would not 
result in extinction of the DPS. These steps and the resulting list of 
areas excluded from designation are described in detail in the sections 
below.

Impacts of Designation

    The primary impact of a critical habitat designation stems from the 
requirement under section 7(a)(2) of the ESA that Federal agencies 
ensure that their actions are not likely to result in the destruction 
or adverse modification of critical habitat. Determining this impact is 
complicated by the fact that section 7(a)(2) contains the overlapping 
requirement that Federal agencies must also ensure their actions are 
not likely to jeopardize the species' continued existence. One 
incremental impact of the designation is the extent to which Federal 
agencies modify their actions to ensure their actions are not likely to 
destroy or adversely modify the critical habitat of the species, beyond 
any modifications they would make because of the listing and the 
subsequent requirement to avoid jeopardy. When the same modification 
would be required due to impacts to both the species and critical 
habitat, the impact of the designation is considered co-extensive with 
the ESA listing of the species (i.e., attributable to both the listing 
of the species and the designation of critical habitat). Additional 
impacts of designation include state and local protections that may be 
triggered as a result of the designation, and the benefits from 
educating the public about the importance of each area for species 
conservation. Thus, the impacts of the designation include conservation 
impacts for MHI IFKW and its habitat, economic impacts, impacts on 
national security and other relevant impacts that may result from the 
designation and the application of ESA section 7(a)(2).
    In determining the impacts of designation, we focused on the 
incremental change in Federal agency actions as a result of critical 
habitat designation and the adverse modification provision, beyond the 
changes predicted to occur as a result of listing and the jeopardy 
provision. Following a line of recent court decisions (including 
Arizona Cattle Growers Association v. Salazar, 606 F. 3d 1160 (9th Cir. 
2010), cert. denied, 562 U.S. 1216 (2011) (Arizona Cattle Growers); and 
Home Builders Association of Northern California et al., v. U.S. Fish 
and Wildlife Service, 616 F.3d 983 (9th Cir. 2010), cert. denied, 562 
U.S. 1217 (2011) (Home Builders)), economic impacts that occur 
regardless of the critical habitat designation are treated as part of 
the regulatory baseline and are not factored into the analysis of the 
effects of the critical habitat designation. In other words, we focus 
on the potential incremental impacts beyond the impacts that would 
result from the listing of the species and consultation under the 
jeopardy clause. In some instances, potential impacts from the critical 
habitat designation could not be distinguished from protections that 
may already occur under the baseline (i.e., protections already 
afforded MHI IFKWs under its listing or under other federal, state, and 
local regulations). For example, the project modifications needed to 
prevent destruction or adverse modification of critical habitat may be 
similar to the project modifications necessary to prevent jeopardy to 
the species in an area. The extent to which these modifications differ 
may be project specific, and the incremental changes or impacts to the 
project may be difficult to tease apart without further project 
specificity.
    Once we determined the impacts of the designation, we then 
determined the benefits of designation. The benefits of designation 
include the conservation impacts for MHI IFKWs and their habitat that 
result from the critical habitat designation and the application of ESA 
section 7(a)(2). The benefits of exclusion include avoidance of the 
economic, national security, and other relevant impacts (e.g., impacts 
on conservation plans) of the designation if a particular area were to 
be excluded from the critical habitat designation. The following 
sections describe how we determined the benefits of designation, and 
how the impacts of designation were considered, as required under 
section 4(b)(2) of the ESA, to identify particular areas that may be 
eligible for exclusion from the designation. We also summarize the 
results of our weighing process and determinations of the areas that 
may be eligible for exclusion (for additional information see the ESA 
Section 4(b)(2) Report (NMFS 2018b)).

Benefits of Designation

    The primary benefit of designation is the protection afforded under 
section 7(a)(2) of the ESA, requiring all Federal agencies to ensure 
their actions are not likely to destroy or adversely modify designated 
critical habitat. This is in addition to the requirement that all 
Federal agencies ensure their actions are

[[Page 35082]]

not likely to jeopardize the continued existence of the species. 
Another benefit of critical habitat designation is that it provides 
specific notice of the feature essential to the conservation of the MHI 
IFKW DPS and where that feature occurs. This information will focus 
future consultations and other conservation efforts on the key habitat 
attributes that support conservation of this DPS. There may also be 
enhanced awareness by Federal agencies and the general public of 
activities that might affect that essential feature. Accordingly, 
identification of that feature may improve discussions with action 
agencies regarding relevant habitat considerations of proposed 
projects.
    In addition to the protections described above, Chapter 12 of the 
Final Economic Report (Cardno 2018) discusses other forms of indirect 
benefits that may be attributed to the designation including, but not 
limited to, use benefits and non-use or passive use benefits (Cardno 
2018). Use benefits include positive changes that protections 
associated with the designation may provide for resource users, such as 
increased fishery resources, sustained or enhanced aesthetic appeal in 
ocean areas, or sustained wildlife-viewing opportunities. Non-use or 
passive benefits include those independent of resource use, where 
conservation of MHI IFKW habitat aligns with beliefs or values held by 
particular entities (e.g., existence, bequest, and cultural values) 
(Cardno 2018). More information about these types of values may be 
found in Chapter 12 of the Final Economic Report (Cardno 2018).
    Most of these benefits are not directly comparable to the costs of 
designation for purposes of conducting the section 4(b)(2) analysis 
described below. Ideally, benefits and costs should be compared on 
equal terms; however, there is insufficient information regarding the 
extent of the benefits and the associated values to monetize all of 
these benefits. We have not identified any available data to monetize 
the benefits of designation (e.g., estimates of the monetary value of 
the essential feature within areas designated as critical habitat, or 
of the monetary value of education and outreach benefits). Further, 
section 4(b)(2) also requires that we consider and weigh impacts other 
than economic impacts that may be intangible and do not lend themselves 
to quantification in monetary terms, such as the benefits to national 
security of excluding areas from critical habitat. Given the lack of 
information that would allow us either to quantify or monetize the 
benefits of the designation for MHI IFKWs discussed above, we 
determined that conservation benefits should be considered from a 
qualitative standpoint. In determining the benefits of designation, we 
considered a number of factors. We took into account MHI IFKW use of 
the habitat, the existing baseline protections that may protect that 
habitat regardless of designation, and how the essential feature may be 
affected by activities that occur in these areas if critical habitat 
were not designated. These factors combined provided an understanding 
of the importance of protecting the habitat for the overall 
conservation of the DPS.
    Generally, we relied on density analysis of satellite-tracking data 
as well as an analysis of travel throughout the areas to provide 
information about MHI IFKW habitat use (Figure 4 of the Final ESA 
Section 4(b)(2) Report; NMFS 2018b). The descriptions of MHI IFKW 
habitat use provided in the sections below describe habitat in terms of 
high and low-use areas using the density analysis described in Baird et 
al. (2012) and describe how these areas may be used for travel or 
transit. Cascadia Research Collective supplied satellite-tracking 
information to support NMFS' determination of this critical habitat 
designation for the proposed and final rule. For the proposed rule, 
density analysis of data received included information from 27 tagged 
individuals (18 from Cluster 1, 1 from Cluster 2, 7 from Cluster 3, and 
1 from Cluster 4) (R. Baird, Cascadia Research Collective, pers. comm., 
June 2017). For the final rule, data from a total of 30 tagged 
individuals (2 additional animals from cluster 1 and 1 additional 
animal from cluster 4) was used to inform the analyses (R. Baird, 
Cascadia Research Collective, pers. Comm, January 2018).
    High-use areas denote areas where satellite-tracking information 
indicates more frequent use by MHI IFKWs. High to moderate travel areas 
provide further understanding about how these whales travel through 
specific areas. The conservation value for high-use and high-traveled 
areas is inferred to be higher than low-use and low-traveled areas of 
the range; however, all areas contain the essential feature and meet 
the definition of critical habitat for this DPS. As noted in the 
Biological Report (NMFS 2018a), there is limited representation among 
social clusters in the tracking data and information. Accordingly, the 
available satellite-tracking information may not be fully 
representative of MHI IFKW habitat use. While describing MHI IFKW use 
for the exclusion of some particular areas, we provide additional 
information (e.g., observation data from boat surveys) that 
supplemented our understanding of MHI IFKW habitat use patterns. In 
these instances, we describe how this information may enhance our 
understanding of the conservation value of the area.
    Generally, we describe high-use areas as indicating areas of higher 
conservation value where greater foraging and/or reproductive 
opportunities are believed to exist. Additionally, high to moderate 
travel areas indicate areas of concentrated travel. However, 
particularly within a restricted range, low-use and low-traveled areas 
continue to offer the essential feature and may provide unique 
opportunities for foraging as oceanic conditions vary seasonally or 
temporally.

Economic Impacts of Designation

    Economic costs of the designation accrue primarily through 
implementation of section 7 of the ESA in consultations with Federal 
agencies to ensure their proposed actions are not likely to destroy or 
adversely modify critical habitat. The Economic Report (Cardno 2018) 
considered the Federal activities that may be subject to a section 7 
consultation and the range of potential changes that may be required 
for each of these activities under the adverse modification provision. 
To the extent possible, the analysis focused on changes beyond those 
impacts that may result from the listing of the species or that are 
established within the environmental baseline. However, the report 
acknowledges that some existing protections to prevent jeopardy to MHI 
IFKWs are likely to overlap with those protections that may be put in 
place to prevent adverse modification (Cardno 2018). The project 
modification impacts represent the benefits of excluding each 
particular area (that is, the impacts that would be avoided if an area 
were excluded from the designation).
    The Final Economic Report (Cardno 2018) estimates the impacts based 
on activities that are considered reasonably foreseeable, which include 
activities that are currently authorized, permitted, or funded by a 
Federal agency, or for which proposed plans are currently available to 
the public. These activities align with those identified under the 
Special Management Considerations or Protections section (above). 
Projections were calculated for the next 10-year period. The analysis 
relied largely upon NMFS' records of section 7 consultations to 
estimate the average number of projects that are likely to occur within 
the particular areas (i.e.,

[[Page 35083]]

projections were based on past numbers of consultations) and determine 
the level of consultation (formal, informal) that would be necessary 
based on the described activity. Where appropriate, the analysis also 
included projections for actions that are likely to occur within the 
particular areas that were identified by action agencies (Cardno 2018).
    The Final Economic Report (Cardno 2018) identifies the total 
estimated present value of the quantified incremental impacts of this 
designation to be between approximately 196,000 to 213,000 dollars over 
the next 10 years; on an annualized undiscounted basis, the impacts are 
equivalent to 19,600 to 21,300 dollars per year. Applying discounted 
rates recommended in the Office of Management and Budget Circular A-4, 
the Final Economic Report estimates these incremental impacts of 
designation to be between 170,000 to 185,000 using a 3 percent discount 
rate and 143,000 to 156,000 using a 7 percent discount rate (Cardno 
2018). These impacts include only incremental administrative efforts to 
consider critical habitat in section 7 consultations for the section 7 
activities identified under the Need for Special Management 
Considerations or Protections section of this rule. However, private 
energy developers may also bear some of the administrative costs of 
consultation for large energy projects; the Final Economic Report 
estimates these costs are between 0 and 300 dollars annually 
undiscounted and are expected to involve three consultation projects 
over the next 10 years (Cardno 2018). Across the MHI, economic impacts 
are expected to be small and largely associated with the administrative 
costs borne by Federal agencies, but may include low administrative 
costs to non-Federal entities as well.
    Both the Final Biological Report and the Final Economic Report 
recognize that some of the future impacts of the designation are 
difficult to predict (NMFS 2018a, Cardno 2018). Although considered 
unlikely, NMFS cannot rule out future modifications for federally 
managed fisheries and activities that contribute to water quality (NMFS 
2018a). For federally managed fisheries, modifications were not 
predicted as a result of the critical habitat designation based on 
current management of the fisheries. However, we noted that future 
revised management measures could result as more information is gained 
about MHI IFKW foraging ecology, or as we gain a better understanding 
of the relative importance of certain prey species to the health and 
recovery of a larger MHI IFKW population. Similarly, modifications to 
water quality standards were not predicted as a result of this 
designation; however, future modifications were not ruled out because 
future management measures may be necessary as more information is 
gained about how pollutants affect MHI IFKW critical habitat. The Final 
Economic Report discusses this qualitatively, but does not provide 
quantified costs associated with any uncertain future modifications 
(Cardno 2018).
    Economic impacts from the designation are largely attributed to the 
administrative costs of consultations. Generally, the quantified 
economic impacts for this designation are relatively low because in 
Hawaii most projects that would require section 7 consultation occur 
onshore or nearshore and would not overlap with the designation. 
Projects with a Federal nexus (i.e., authorized, funded, or carried out 
by a Federal agency) that occur in deeper waters are already subject to 
consultation under section 7 to ensure that activities are not likely 
to jeopardize the continued existence of MHI IFKWs, and throughout the 
specific area, activities of concern are already subject to multiple 
environmental laws, regulations, and permits that afford the essential 
features a high level of baseline protection. Despite these 
protections, significant uncertainty remains regarding the true extent 
of the impacts that some activities like fishing and activities 
affecting water quality may have on the essential features, and 
economic impacts of the designation may not be fully realized. Because 
the economic impacts of these activities are largely speculative, we 
lack sufficient information with which to balance them against the 
benefits of designation.
    BOEM provided comments on our proposed rule indicating their 
appreciation for the BOEM Call Area exclusion. In addition, the Navy 
submitted comments on the proposed rule noting that, while they support 
the exclusion of areas suitable for renewable energy development, 
portions of the currently identified BOEM Call Areas are not suitable 
for renewable energy development due to national security concerns. In 
support of identifying areas for renewable energy development, the Navy 
completed an assessment of areas (see http://greenfleet.dodlive.mil/rsc/department-of-the-navy-hawaii-offshore-wind-compatibility/) around 
Oahu, noting wind farm areas that are not compatible with military 
activities and identifying only small sections of the two sites that 
are compatible (DON 2016). However, the Call Area boundaries have not 
been revised as a result of the Navy's assessment.
    In determining the economic costs of this designation, we rely on 
the best available information to identify where economic costs are 
likely to occur. The two sites noticed as the BOEM Call Area remain 
significant in meeting Hawaii's renewable energy goals as these sites 
have been identified as areas where wind resources, water depth, and 
proximity to shore are favorable for wind-energy development (81 FR 
41335; June 24, 2016). Given that the boundaries of these two sites 
have not been revised and that the sites are noted as significant for 
energy development, our exclusion analysis is based on the areas of the 
current BOEM Call Area (as published in 81 FR 41335; June 24, 2016).
    The estimated economic impacts in the BOEM Call Area are expected 
to occur as a result of three potential commercial wind-energy projects 
offshore of the island of Oahu (to be located off Kaena point and off 
the south shore) (81 FR 41335; June 24, 2016).
    The BOEM Call Area sites identified for exclusion overlapped with 
approximately 1,961 km\2\ (757 mi\2\), or approximately 3.5 percent of 
the areas that were under consideration for designation. Density 
analysis of satellite-tracking information indicates that these sites 
are not high-use areas for MHI IFKWs; rather they include low-use and 
mostly lower traveled area for MHI IFKWs, with some small overlap into 
a moderately traveled area. As noted above, the baseline protections 
are strong, and energy projects are likely to undergo formal section 7 
consultation to ensure that the activities are not likely to jeopardize 
MHI IFKWs or other protected species (Cardno 2018).
    Although economic costs of this designation in the BOEM Call Area 
are considered low, NMFS also considers the potential intangible costs 
of designation in light of Executive Order 13795, Implementing an 
America-First Offshore Energy Strategy, which sets forth the nation's 
policy for encouraging environmentally responsible energy exploration 
and production, including on the Outer Continental Shelf, to maintain 
the Nation's position as a global energy leader and to foster energy 
security. In particular, both Hawaii's State Energy Office and BOEM 
expressed concerns that the designation may discourage companies from 
investing in offshore energy projects in areas that are identified as 
critical habitat and noted that the costs of lost opportunities to meet 
Hawaii's renewable energy goals could be

[[Page 35084]]

significant (Cardno 2018). Because Oahu has the greatest energy needs 
among the MHI and has limited areas available for this type of 
development, and receiving energy via interconnection among islands is 
technologically difficult, these wind projects off Oahu are considered 
necessary to meet the State of Hawaii's renewable energy goals of 100 
percent renewable energy by 2045 (Cardno 2018).
    Given the significance of this offshore area in supporting 
renewable energy goals for the State of Hawaii and the goals of 
Executive Order 13795, the low administrative costs of this 
designation, the small size of these areas, and the low-use of this 
area by MHI IKFWs, we find that the benefits of exclusion of this 
identified area outweigh the benefits of designation. Although large 
in-water construction projects are an activity of concern for this DPS, 
we anticipate that consultations required to ensure that activities are 
not likely to jeopardize the MHI IFKWs will achieve substantially 
similar conservation benefits for this DPS. Specifically, we anticipate 
that conservation measures implemented as a result of consultation to 
address impacts to the species will also provide incidental protections 
to the habitat feature. Additionally, wind energy projects in these 
areas are not expected to result in destruction or adverse modification 
of critical habitat. Based on our best scientific judgment, and 
acknowledging the small size of this area (approximately 0.2 percent of 
the overall designation) and that other safeguards that are in place 
(e.g., protections already afforded MHI IFKWs under its listing and 
other regulatory mechanisms), we conclude that exclusion of this area 
will not result in the extinction of the species.

National Security Impacts

    The national security benefits of exclusion are the national 
security impacts that would be avoided by excluding particular areas 
from the designation. In preparation for the proposed rule, we 
contacted representatives of DOD and the Department of Homeland 
Security to request information on potential national security impacts 
that may result from the designation of particular areas as critical 
habitat for the MHI IFKW DPS. In response to the request, the Navy and 
U.S. Coast Guard each submitted a request that all areas be excluded 
from critical habitat out of concerns associated with activities that 
introduce noise to the marine environment (NMFS 2017b). Although we 
considered the request for exclusion of all areas proposed for critical 
habitat, we also separately considered particular areas identified by 
the Navy because these areas support specific military activities. The 
Coast Guard did not provide specific explanations with regard to 
particular areas. The Air Force provided a request for exclusion that 
included the waters leading to and the offshore ranges of the PMRF 
(NMFS 2017b). As the PMRF offshore ranges were also highlighted as 
important to Navy activities, we included the information provided by 
the Air Force regarding their request for exclusion for the PMRF ranges 
with the Navy's information, due to the similarities between the 
activities and impacts identified for these areas (e.g., both requests 
in this area were associated with training and testing activities).
    We considered a total of 13 sites for exclusion, and we proposed 8 
of those sites for exclusion in the proposed rule. Additionally, we 
notified the public in the proposed rule that we would be considering 
six additional requests submitted by the Navy (82 FR 51186; November 
03, 2017), which were subsets of a larger area that the Navy initially 
requested for exclusion, but which NMFS determined should not be 
excluded under 4(b)(2). In addition to these six areas, the Navy 
requested the exclusion of two additional areas--north and south of 
Maui as well as the Hawaii Area Tracking System and the Kahoolawe 
Training Minefield (see the ESA Section 4(b)(2) Report, NMFS 2018b); 
these four areas were also subsets of the Four Island Region request 
for exclusion that was not proposed for exclusion at the proposed rule 
stage.
    For the final designation, we reanalyzed the 13 areas already 
considered for exclusion using the updated satellite tracking 
information from the Cascadia Research Collective. Additionally, we 
separately reviewed each of the 10 areas requested by the Navy that 
were subsets of the larger areas requested for exclusion, consistent 
with the review criteria for the 13 previous areas considered for 
national security exclusion.
    Our determinations for these 23 requests are summarized in Table 1 
below.
    As in the analysis of economic impacts, we weighed the benefits of 
exclusion (i.e., the impacts to national security that would be 
avoided) against the benefits of designation. The Navy and Air Force 
provided information regarding the activities that take place in each 
area, and they assessed the potential for a critical habitat 
designation to adversely affect their ability to conduct operations, 
testing, training, and other essential military readiness activities. 
The possible impacts to national security summarized by both groups 
included potential restrictions or constraints on military operations, 
training, research and development, and preparedness vital for combat 
operations for around the world.
    The primary benefit of exclusion is that the DOD's activities would 
continue under current regulatory regimes and the DOD would not be 
required to consult with NMFS under section 7 of the ESA regarding its 
actions that may affect critical habitat, and thus potential delays or 
costs associated with conservation measures for critical habitat would 
be avoided. For each particular area, national security impacts were 
weighed considering the intensity of use of the area by DOD and how 
activities in that area may affect the features essential to the 
conservation of MHI IFKWs. Where additional consultation requirements 
are likely due to critical habitat at a site, we considered how the 
consultation may change the DOD activities, and how unique the DOD 
activities are at the site.
    Benefits to the conservation of MHI IFKWs depend on whether 
designation of critical habitat at a site leads to additional 
conservation of the DPS above what is already provided by being listed 
as endangered under the ESA in the first place. We weighed the 
potential for additional conservation by considering several factors 
that provide an understanding of the importance of protecting the 
habitat for the overall conservation of the DPS: MHI IFKW use of the 
habitat (high vs. low use or travel by MHI IFKWs and/or observational 
data), the existing baseline protections that may protect that habitat 
regardless of designation, and the likelihood of other Federal (non-
DOD) actions being proposed within the site that would be subject to 
section 7 consultation associated with critical habitat. Throughout the 
weighing process the overall size of the area considered for exclusion 
was considered, along with our overall understanding of importance of 
protecting that area for conservation purposes.
    As discussed in the Benefits of Designation section (above), the 
benefits of designation are not directly comparable to the benefits of 
exclusion for purposes of conducting the section 4(b)(2) analysis 
because neither have been fully quantified. The ESA Section 4(b)(2) 
Report (NMFS 2018b) provides our qualitative comparison of the national 
security impacts to the conservation benefits in order to determine 
which is greater. If we found

[[Page 35085]]

that national security impacts outweigh conservation benefits, we 
excluded the site from the critical habitat designation. If 
conservation benefits outweigh national security impacts, we did not 
exclude the site from the critical habitat designation. The decision to 
exclude any sites from a designation of critical habitat is always at 
the discretion of NMFS. Table 1 outlines the determinations made for 
each particular area identified and the factors that weighed 
significantly in that process.

 Table 1--Summary of the Assessment of Particular Areas for Exclusion for the DOD and U.S. Coast Guard Based on
                                          Impacts on National Security
----------------------------------------------------------------------------------------------------------------
                                         Size of particular
                                         area, approximate
          DOD site, agency              percent of the total    Exclusion warranted      Significant weighing
                                             area under                                        factors
                                           consideration
----------------------------------------------------------------------------------------------------------------
(1) Entire Area Under Consideration   56,821 km\2\ (21,933     No..................  This area includes the
 for Designation, Navy and Coast       mi\2\), 100.                                   entire designation and all
 Guard.                                                                               benefits from MHI IFKW
                                                                                      critical habitat would be
                                                                                      lost. Impacts from delays
                                                                                      and possible modifications
                                                                                      to consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting the habitat.
(2) PMRF Offshore Areas, Navy and     843 km\2\ (~325 mi\2\),  Yes.................  This area overlaps a
 Air Force.                            1.5.                                           relatively small area of
                                                                                      low-use and lower traveled
                                                                                      areas of MHI IFKW habitat
                                                                                      where DOD maintains
                                                                                      control of the area. This
                                                                                      area is unique for DOD and
                                                                                      provides specific
                                                                                      opportunities for DOD
                                                                                      training and testing. The
                                                                                      impacts from delays and
                                                                                      possible major
                                                                                      modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and lower traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      unlikely.
(3) Waters Enroute to PMRF from the   1,077 km\2\ (~416        No..................  This area overlaps a
 Port Allen Harbor, Air Force.         mi\2\), 2.                                     relatively small area of
                                                                                      low-use and lower traveled
                                                                                      MHI IFKW habitat that is
                                                                                      not owned or controlled by
                                                                                      DOD and where non-DOD
                                                                                      activities may occur.
                                                                                      Impacts from section 7
                                                                                      consultations are expected
                                                                                      to be minor. Thus, short
                                                                                      delays for minor
                                                                                      modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting this habitat
                                                                                      from future DOD and non-
                                                                                      DOD Federal actions. Note:
                                                                                      a portion of this area is
                                                                                      now excluded from critical
                                                                                      habitat because it
                                                                                      overlaps with the
                                                                                      Kaulakahi Channel portion
                                                                                      of Warning area 186.
(4) Kingfisher Range, Navy..........  14 km\2\ (~6 mi\2\),     Yes.................  This area overlaps a small
                                       .02.                                           area of low-use and lower
                                                                                      traveled MHI IFKW habitat
                                                                                      where DOD maintains
                                                                                      control of the area. This
                                                                                      area is unique for DOD and
                                                                                      provides specific
                                                                                      opportunities for DOD
                                                                                      training. Impacts from
                                                                                      short delays from minor
                                                                                      modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and lower traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      unlikely.
(5) Warning Area 188, Navy..........  2,674 km\2\ (~1,032      Yes.................  This area overlaps a medium
                                       mi\2\), 5.                                     area of low-use and lower
                                                                                      traveled MHI IFKW habitat.
                                                                                      DOD maintains control over
                                                                                      a portion of the habitat,
                                                                                      but does not control
                                                                                      deeper waters. Impacts
                                                                                      from delays and possible
                                                                                      major modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and lower traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      less likely.
(6) Kaula and Warning Area W-187,     266 km\2\ (~103 mi\2\),  Yes.................  This area overlaps a small
 Navy.                                 0.5.                                           area of low-use and very
                                                                                      low traveled MHI IFKW
                                                                                      habitat where DOD
                                                                                      maintains control of the
                                                                                      area. This area is unique
                                                                                      for DOD and provides
                                                                                      specific opportunities for
                                                                                      DOD training. Impacts from
                                                                                      short delays by informal
                                                                                      consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and very low traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      unlikely.
(7) W-189, HELO Quickdraw Box and     2,886 km\2\ (~1,114      No..................  This area overlaps a medium
 Oahu Danger Zone, Navy.               mi\2\), 5.                                     area of low-use and
                                                                                      moderate to low traveled
                                                                                      MHI IFKW habitat and a
                                                                                      small high-use area for
                                                                                      MHI IFKWs. The DOD does
                                                                                      not maintain control over
                                                                                      these waters and non-DOD
                                                                                      activities are expected in
                                                                                      portions of this area.
                                                                                      Impacts from delays and
                                                                                      possible modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting both high and
                                                                                      low-use and moderate to
                                                                                      low traveled MHI IFKW
                                                                                      habitat from future DOD
                                                                                      and non-DOD Federal
                                                                                      actions.
(8) Fleet Operational Readiness       74 km\2\ (~29 mi\2\),    Yes.................  This area overlaps a small
 Accuracy Check Site Range (FORACS),   0.1.                                           area of low-use and
 Navy.                                                                                moderate to low traveled
                                                                                      MHI IFKW habitat where DOD
                                                                                      maintains control of the
                                                                                      area. This area is unique
                                                                                      for DOD and provides
                                                                                      specific opportunities for
                                                                                      DOD testing to maintain
                                                                                      equipment accuracy.
                                                                                      Impacts from delays and
                                                                                      possible modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and moderate to low
                                                                                      traveled habitat where
                                                                                      future non-DOD Federal
                                                                                      actions are unlikely.

[[Page 35086]]

 
(9) Shipboard Electronic Systems      74 km\2\ (~29 mi\2\),    Yes.................  This area overlaps a small
 Evaluation Facility Range (SESEF),    0.1.                                           area of low-use and lower
 Navy.                                                                                traveled MHI IFKW habitat
                                                                                      where DOD maintains
                                                                                      control of the area. This
                                                                                      area is unique for DOD and
                                                                                      provides specific
                                                                                      opportunities for DOD
                                                                                      testing to maintain
                                                                                      equipment accuracy.
                                                                                      Impacts from delays and
                                                                                      possible modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and lower traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      unlikely.
(10) W-196 and 191, Navy............  728 km\2\ (~281 mi\2\),  Yes.................  This area overlaps a
                                       1.                                             relatively small area of
                                                                                      low-use and lower traveled
                                                                                      MHI IFKW habitat that is
                                                                                      not controlled by DOD but
                                                                                      where non-DOD Federal
                                                                                      actions are unlikely.
                                                                                      Impacts from short delays
                                                                                      and possible modifications
                                                                                      to consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and lower traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      unlikely.
(11) W 193 and 194, Navy............  458 km\2\ (~177 mi\2\),  Yes.................  This area overlaps a
                                       1.                                             relatively small area of
                                                                                      low-use and lower traveled
                                                                                      MHI IFKW habitat that is
                                                                                      not controlled by DOD but
                                                                                      where non-DOD Federal
                                                                                      actions are unlikely.
                                                                                      Impacts from short delays
                                                                                      and possible modifications
                                                                                      to consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and lower traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      unlikely.
(12) Four Islands Region (Maui,       15,389 km\2\ (~5,940     No..................  This area includes a
 Lanai, Molokai Kahoolawe), Navy.      mi\2\), 27.                                    relatively large area of
                                                                                      both high and low-use and
                                                                                      high and lower traveled
                                                                                      MHI IKFW habitat that is
                                                                                      not controlled by DOD.
                                                                                      Impacts from delays and
                                                                                      possible major
                                                                                      modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting the entire
                                                                                      area, which includes both
                                                                                      high and low-use and high
                                                                                      and lower traveled MHI
                                                                                      IFKW habitat, from future
                                                                                      DOD and non-DOD Federal
                                                                                      actions.
(13) Hawaii Island, Navy............  16,931 km\2\ (~6,535     No..................  This area includes a
                                       mi\2\); 30.                                    relatively large area of
                                                                                      both high and low-use and
                                                                                      high and lower traveled
                                                                                      MHI IKFW habitat that is
                                                                                      not controlled by DOD.
                                                                                      Impacts from delays and
                                                                                      possible major
                                                                                      modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting the entire
                                                                                      area, which includes both
                                                                                      high and low-use and high
                                                                                      and lower traveled MHI
                                                                                      IFKW habitat, from future
                                                                                      DOD and non-DOD Federal
                                                                                      actions.
(14) Kaulakahi Channel Portion of W-  1,631 km\2\ (~630        Yes.................  This area overlaps a small
 186, Navy.                            mi\2\), 3.                                     to medium area of low-use
                                                                                      and lower traveled MHI
                                                                                      IFKW habitat that is not
                                                                                      controlled by DOD. This
                                                                                      area is unique for DOD and
                                                                                      provides specific
                                                                                      opportunities for DOD
                                                                                      training and testing. The
                                                                                      impacts from delays and
                                                                                      possible major
                                                                                      modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting low-
                                                                                      use and lower traveled
                                                                                      habitat where future non-
                                                                                      DOD Federal actions are
                                                                                      unlikely.
(15) Area North and East of Oahu,     2,472 km\2\ (~954        No..................  This area overlaps a medium
 Navy.                                 mi\2\), 4.                                     area of both high-use and
                                                                                      low-use and high to low
                                                                                      traveled MHI IFKW habitat.
                                                                                      The DOD does not maintain
                                                                                      control over these waters
                                                                                      and non-DOD activities are
                                                                                      expected in portions of
                                                                                      this area. Impacts from
                                                                                      delays and possible
                                                                                      modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting both high and
                                                                                      low-use and high and low
                                                                                      traveled MHI IFKW habitat,
                                                                                      from future DOD and non-
                                                                                      DOD Federal actions.
(16) Area to the South of Oahu, Navy  1,803 km\2\ (~696        No..................  This area overlaps a medium
                                       mi\2\), 3.                                     area of low-use and
                                                                                      moderate to low traveled
                                                                                      MHI IFKW habitat. The DOD
                                                                                      does not maintain control
                                                                                      over these waters and non-
                                                                                      DOD activities are
                                                                                      expected in portions of
                                                                                      this area. Impacts from
                                                                                      delays and possible
                                                                                      modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting both low-use
                                                                                      and moderate to low
                                                                                      traveled MHI IFKW habitat,
                                                                                      from future DOD and non-
                                                                                      DOD Federal actions.
(17) Kaiwi Channel, Navy............  2,355 km\2\ (~909        No..................  This area includes a medium
                                       mi\2\), 4.                                     area with mostly high-use
                                                                                      and high to low traveled
                                                                                      MHI IKFW habitat that is
                                                                                      not controlled by DOD.
                                                                                      Impacts from delays and
                                                                                      possible major
                                                                                      modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting the entire
                                                                                      area, which includes both
                                                                                      high and low-use and high
                                                                                      to low traveled MHI IFKW
                                                                                      habitat, from future DOD
                                                                                      and non-DOD Federal
                                                                                      actions.

[[Page 35087]]

 
(18) Area North and Offshore of       596 km\2\ (~230 mi\2\),  Yes.................  This area overlaps a
 Molokai; Navy.                        1.                                             relatively small area of
                                                                                      potential critical habitat
                                                                                      and includes mostly low-
                                                                                      use and low-travel area
                                                                                      for MHI IKFWs. This area
                                                                                      also includes very small
                                                                                      portions of high-use and
                                                                                      moderate to low travelled
                                                                                      MHI IFKW habitat on the
                                                                                      southern boundary of the
                                                                                      area. The DOD does not
                                                                                      maintain control over
                                                                                      these waters and non-DOD
                                                                                      activities may occur in
                                                                                      these areas. The impacts
                                                                                      from delays and possible
                                                                                      major modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting
                                                                                      mostly low-use and lower
                                                                                      traveled habitat at the
                                                                                      edge of the designation.
(19) Alenuihaha Channel, Navy.......  2,609 km\2\ (~1,007      Yes.................  This area overlaps a small
                                       mi\2\), 5.                                     to medium sized area of
                                                                                      potential critical habitat
                                                                                      and includes mostly low-
                                                                                      use and low-travel area
                                                                                      for MHI IKFWs. The DOD
                                                                                      does not maintain control
                                                                                      over these waters and non-
                                                                                      DOD activities may occur
                                                                                      in these areas. The
                                                                                      impacts from delays and
                                                                                      possible major
                                                                                      modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting
                                                                                      mostly low-use and lower
                                                                                      traveled habitat.
(20) Area north of Maui, Navy.......  2,590 km\2\ (~1,000      No..................  This area overlaps a medium
                                       mi\2\), 5.                                     area with high-use and
                                                                                      high to low traveled MHI
                                                                                      IFKW habitats. The DOD
                                                                                      does not maintain control
                                                                                      over these waters and non-
                                                                                      DOD activities may occur
                                                                                      in these areas. Impacts
                                                                                      from delays and possible
                                                                                      modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting portions of
                                                                                      high-use and high to low
                                                                                      traveled MHI IFKW habitat,
                                                                                      from future DOD and non-
                                                                                      DOD Federal actions.
(21) Area south of Maui, Navy.......  1,899 km\2\ (~733        No..................  This area overlaps a small
                                       mi\2\), 3.                                     to medium area of low-use
                                                                                      and lower traveled MHI
                                                                                      IFKW habitat and is
                                                                                      located between three high-
                                                                                      use areas of the
                                                                                      designation allowing for
                                                                                      contiguous travel between
                                                                                      those areas. The area is
                                                                                      not controlled by DOD.
                                                                                      This area is unique for
                                                                                      DOD and provides specific
                                                                                      opportunities for DOD
                                                                                      training and testing.
                                                                                      Impacts from delays and
                                                                                      possible modifications to
                                                                                      consultation are
                                                                                      outweighed by benefits of
                                                                                      protecting contiguous
                                                                                      habitat between MHI IFKW
                                                                                      high-use areas, from
                                                                                      future DOD and non-DOD
                                                                                      Federal actions.
(22) Hawaii Area Tracking System....  96 km\2\ (~37 mi\2\),    Yes.................  This area overlaps a small
                                       0.2.                                           area of low-use and lower
                                                                                      traveled MHI IFKW habitat
                                                                                      where DOD maintains
                                                                                      control of the area. This
                                                                                      area is unique for DOD and
                                                                                      provides specific
                                                                                      opportunities for DOD
                                                                                      training. The impacts from
                                                                                      delays and possible major
                                                                                      modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting
                                                                                      mostly low-use and lower
                                                                                      traveled habitat.
(23) Kahoolawe Training Minefield...  12 km\2\ (~5 mi\2\)      Yes.................  This area overlaps a small
                                       0.02.                                          area of low-use and lower
                                                                                      traveled MHI IFKW habitat
                                                                                      where DOD maintains
                                                                                      control of the area. This
                                                                                      area is unique for DOD and
                                                                                      provides specific
                                                                                      opportunities for DOD
                                                                                      training. The impacts from
                                                                                      delays and possible major
                                                                                      modifications to
                                                                                      consultation outweigh
                                                                                      benefits of protecting
                                                                                      mostly low-use and lower
                                                                                      traveled habitat.
----------------------------------------------------------------------------------------------------------------

Other Relevant Impacts of the Designation

    Finally, under ESA section 4(b)(2) we consider any other relevant 
impacts of critical habitat designation to inform our decision as to 
whether to exclude any areas. For example, we may consider potential 
adverse effects on existing management plans or conservation plans that 
benefit listed species, and we may consider potential adverse effects 
on tribal lands or trust resources. In preparing this designation, we 
have not identified any such management or conservation plans, tribal 
lands or resources, or anything else that would be adversely affected 
by the critical habitat designation. Accordingly, we do not exercise 
our discretionary authority to exclude any areas based on other 
relevant impacts.

Critical Habitat Designation

    This rule designates approximately 45,504 km\2\ (17,564 mi\2\) of 
marine habitat surrounding the main Hawaiian Islands within the 
geographical area presently occupied by the MHI IFKW. This critical 
habitat area contains physical or biological features essential to the 
conservation of the DPS that may require special management 
considerations or protection. We have not identified any unoccupied 
areas that are essential to conservation of the MHI IFKW DPS and are 
not proposing any such areas for designation as critical habitat. This 
rule proposes to exclude from the designation the following areas (one 
area, two sites, for the Bureau of Ocean Energy Management (BOEM) and 
13 exclusions requested by the Navy): (1) The BOEM Call Area offshore 
of the Island of Oahu (which includes two sites, one off Kaena point 
and one off the south shore), (2) the Navy Pacific Missile Range 
Facility's Offshore ranges (including the Shallow Water Training Range 
(SWTR), the Barking Sands Tactical Underwater Range (BARSTUR), and the 
Barking Sands Underwater

[[Page 35088]]

Range Extension (BSURE; west of Kauai), (3) the Navy Kingfisher Range 
(northeast of Niihau), (4) Warning Area 188 (west of Kauai), (5) Kaula 
Island and Warning Area 187 (surrounding Kaula Island), (6) the Navy 
Fleet Operational Readiness Accuracy Check Site (FORACS) (west of 
Oahu), (7) the Navy Shipboard Electronic Systems Evaluation Facility 
(SESEF) (west of Oahu), (8) Warning Areas 196 and 191 (south of Oahu), 
(9) Warning Areas 193 and 194 (south of Oahu), (10) the Kaulakahi 
Channel portion of Warning area 186 (the channel between Niihau and 
Kauai and extending east), (11) the area north of Molokai, (12) the 
Alenuihaha Channel, (13) Hawaii Area Tracking System, and (14) the 
Kahoolawe Training Minefield. Based on our best scientific knowledge 
and expertise, we conclude that the exclusion of these areas will not 
result in the extinction of the DPS, and will not impede the 
conservation of the DPS. In addition, the Ewa Training Minefield and 
the Naval Defensive Sea Area are precluded from designation under 
section 4(a)(3) of the ESA because they are managed under the JBPHH 
INRMP that we find provides a benefit to the Main Hawaiian Islands 
insular false killer whale.

Effects of Critical Habitat Designations

    Section 7(a)(2) of the ESA requires Federal agencies, including 
NMFS, to ensure that any action authorized, funded, or carried out by 
the agency (agency action) is not likely to jeopardize the continued 
existence of any threatened or endangered species or destroy or 
adversely modify designated critical habitat. When a species is listed 
or critical habitat is designated, Federal agencies must consult with 
NMFS on any agency action to be conducted in an area where the species 
is present and that may affect the species or its critical habitat. 
During the consultation, NMFS evaluates the agency action to determine 
whether the action may adversely affect listed species or critical 
habitat and issues its finding in a biological opinion. If NMFS 
concludes in the biological opinion that the agency action would likely 
result in the destruction or adverse modification of critical habitat, 
NMFS would also recommend any reasonable and prudent alternatives to 
the action. Reasonable and prudent alternatives are defined in 50 CFR 
402.02 as alternative actions identified during formal consultation 
that can be implemented in a manner consistent with the intended 
purpose of the action, that are consistent with the scope of the 
Federal agency's legal authority and jurisdiction, that are 
economically and technologically feasible, and that would avoid the 
destruction or adverse modification of critical habitat.
    Regulations at 50 CFR 402.16 require Federal agencies that have 
retained discretionary involvement or control over an action, or where 
such discretionary involvement or control is authorized by law, to 
reinitiate consultation on previously reviewed actions in instances in 
which (1) critical habitat is subsequently designated; or (2) new 
information or changes to the action may result in effects to critical 
habitat not previously considered in the biological opinion. 
Consequently, some Federal agencies may request re-initiation of 
consultation or conference with NMFS on actions for which formal 
consultation has been completed, if those actions may affect designated 
critical habitat. Activities subject to the ESA section 7 consultation 
process include activities on Federal lands, as well as activities 
requiring a permit or other authorization from a Federal agency (e.g., 
a section 10(a)(1)(B) permit from NMFS), or some other Federal action, 
including funding (e.g., Federal Highway Administration or Federal 
Emergency Management Agency funding). ESA section 7 consultation would 
not be required for Federal actions that do not affect listed species 
or critical habitat, and would not be required for actions on non-
Federal and private lands that are not carried out, funded, or 
authorized by a Federal agency.

Activities That May Be Affected

    ESA section 4(b)(8) requires, to the maximum extent practicable, in 
any regulation to designate critical habitat, an evaluation and brief 
description of those activities (whether public or private) that may 
adversely modify such habitat or that may be affected by such 
designation. A wide variety of activities may affect MHI IFKW critical 
habitat and may be subject to the ESA section 7 consultation processes 
when carried out, funded, or authorized by a Federal agency. The 
activities most likely to be affected by this critical habitat 
designation once finalized are the following: (1) In-water construction 
(including dredging); (2) energy development (including renewable 
energy projects); (3) activities that affect water quality; (4) 
aquaculture/mariculture; (5) fisheries; (6) environmental restoration 
and response activities (including responses to oil spills and vessel 
groundings, and marine debris clean-up activities); and (7) some 
military readiness activities. Private entities may also be affected by 
this critical habitat designation if a Federal permit is required, 
Federal funding is received, or the entity is indirectly affected by 
delays or changes in a Federal project. These activities would need to 
be evaluated with respect to their potential to destroy or adversely 
modify critical habitat. Changes to the actions to minimize or avoid 
destruction or adverse modification of designated critical habitat may 
result in changes to some activities. Please see the Economic Analysis 
Report (Cardno 2018) for more details and examples of changes that may 
need to occur in order for activities to minimize or avoid destruction 
or adverse modification of designated critical habitat. Questions 
regarding whether specific activities would constitute destruction or 
adverse modification of critical habitat should be directed to NMFS 
(see ADDRESSES and FOR FURTHER INFORMATION CONTACT).

References Cited

    A complete list of all references cited in this rule can be found 
on our website at: http://www.fpir.noaa.gov/PRD/prd_mhi_false_killer_whale.html#fwk_esa_listing or at 
www.regulations.gov, and is available upon request from the NMFS office 
in Honolulu, Hawaii (see ADDRESSES).

Classification

Takings

    Under E.O. 12630, Federal agencies must consider the effects of 
their actions on constitutionally protected private property rights and 
avoid unnecessary takings of property. A taking of property includes 
actions that result in physical invasion or occupancy of private 
property that substantially affect its value or use. In accordance with 
E.O. 12630, this rule does not have significant takings implications. 
The designation of critical habitat for the MHI IFKW DPS is fully 
described within the offshore marine environment and is not expected to 
affect the use or value of private property interests. Therefore, a 
takings implication assessment is not required.

Executive Orders 12866 and 13771

    OMB has determined that this rule is significant for purposes of 
Executive Order 12866 review. Economic and Regulatory Impact Review 
Analyses and 4(b)(2) analyses as set forth and referenced herein have 
been prepared to support the exclusion process under section 4(b)(2) of 
the ESA. To review these documents see ADDRESSES section above.
    We have estimated the costs for this rule. Economic impacts 
associated with

[[Page 35089]]

this rule stem from the ESA's requirement that Federal agencies ensure 
any action authorized, funded, or carried out will not likely 
jeopardize the continued existence of any endangered or threatened 
species or result in the destruction or adverse modification of 
critical habitat. In practice, this requires Federal agencies to 
consult with NMFS whenever they propose an action that may affect a 
listed species or its designated critical habitat, and then to modify 
any action that could jeopardize the species or adversely affect 
critical habitat. Thus, there are two main categories of costs: 
Administrative costs associated with completing consultations, and 
project modification costs. Costs associated with the ESA's requirement 
to avoid jeopardizing the continued existence of a listed species are 
not attributable to this rule, as that requirement exists in the 
absence of the critical habitat designation.
    The Economic Report (Cardno 2018) identifies the total estimated 
present value of the quantified impacts above current consultation 
effort to be between approximately 192,000 to 208,000 dollars over the 
next 10 years; on an annualized undiscounted basis, the impacts are 
equivalent to 19,200 to 20,800 dollars per year. Applying discounted 
rates recommended in the Office of Management and Budget Circular A-4, 
the Final Economic Report estimates these incremental impacts of 
designation to be between 170,000 to 185,000 using a 3 percent discount 
rate and 143,000 to 156,000 using a 7 percent discount rate (Cardno 
2018). These total impacts include the additional administrative 
efforts necessary to consider critical habitat in section 7 
consultations. Across the MHI, economic impacts are expected to be 
small and largely associated with the administrative costs borne by 
Federal agencies. However, private energy developers may also bear the 
administrative costs of consultation for large energy projects. The 
Final Economic Report estimates these costs to be between 0 and 3,000 
dollars over the next 10 years. While there are expected beneficial 
economic impacts of designating critical habitat, there are 
insufficient data available to monetize those impacts (see Benefits of 
Designation section).
    This rule is not expected to be subject to the requirements of E.O. 
13771 because this rule is expected to result in no more than de 
minimis costs.

Executive Order 13132, Federalism

    The Executive Order on Federalism, Executive Order 13132, requires 
agencies to take into account any federalism impacts of regulations 
under development. It includes specific consultation directives for 
situations in which a regulation may preempt state law or impose 
substantial direct compliance costs on state and local governments 
(unless required by statute). Pursuant to E.O. 13132, we determined 
that this rule does not have significant federalism effects and that a 
federalism assessment is not required. We requested information from 
and coordinated development of this final critical habitat designation 
with appropriate Hawaii State resources agencies. The designation may 
have some benefit to state and local resource agencies in that the rule 
more clearly defines the physical and biological features essential to 
the conservation of the species and the areas on which those features 
are found. While this designation would not alter where and what non-
Federally sponsored activities may occur, it may assist local 
governments in long-range planning.
    Where state and local governments require approval or authorization 
from a Federal agency for actions that may affect critical habitat, 
consultation under section 7(a)(2) would be required. While non-Federal 
entities that receive Federal funding, assistance, or permits, or that 
otherwise require approval or authorization from a Federal agency for 
an action, may be indirectly impacted by the designation of critical 
habitat, the legally binding duty to avoid destruction or adverse 
modification of critical habitat rests only on the Federal agency.

Energy Supply, Distribution, and Use (Executive Order 13211)

    Executive Order 13211 requires agencies to prepare a Statement of 
Energy Effects when undertaking a ``significant energy action.'' 
According to Executive Order 13211, ``significant energy action'' means 
any action by an agency that is expected to lead to the promulgation of 
a final rule or regulation that is a significant regulatory action 
under Executive Order 12866 and is likely to have a significant adverse 
effect on the supply, distribution, or use of energy. We have 
considered the potential impacts of this action on the supply, 
distribution, or use of energy (see section 13.2 of the Economic 
Report; Cardno 2018). It is unlikely for the oil and gas industry to 
experience a ``significant adverse effect'' due to this designation, as 
Hawaii does not produce petroleum or natural gas, and refineries are 
not expected to be affected by this designation. Offshore energy 
projects may affect the essential features of critical habitat for the 
MHI IFKW DPS. However, foreseeable impacts are limited to two areas off 
Oahu where prospective wind energy projects are under consideration 
(see Economic Impacts of Designation section). Impacts to the 
electricity industry would likely be limited to potential delays in 
project development, costs to monitor noise, and possibly additional 
administrative costs of consultation. The potential critical habitat 
area is not expected to affect the current electricity production 
levels in Hawaii. Further, it appears that the designation will have 
little or no effect on electrical energy production decisions (other 
than the location of the future project), subsequent electricity 
supply, or the cost of future energy production. The designation is 
unlikely to impact the industry by greater than the 1 billion kWh per 
year or 500 MW of capacity provided as guidance in the executive order. 
It is therefore unlikely for the electricity production industry to 
experience a significant adverse effect due to the MHI IFKW critical 
habitat designation.

Regulatory Flexibility Act

    Under the Regulatory Flexibility Act (RFA) (5 U.S.C. 601 et seq.) 
as amended by the Small Business Regulatory Enforcement Fairness Act 
(SBREFA) of 1996, whenever an agency publishes a notice of rulemaking 
for any proposed or final rule, it must prepare and make available for 
public comment a RFA describing the effects of the rule on small 
entities, i.e., small businesses, small organizations, and small 
government jurisdictions. A final regulatory flexibility analysis 
(FRFA) has been prepared, which is included as Chapter 13 to the 
Economic Report (Cardno 2018). This document is available upon request 
(see ADDRESSES), via our website at http://www.fpir.noaa.gov/PRD/prd_mhi_false_killer_whale.html#fwk_esa_listing or via the Federal 
eRulemaking website at www.regulations.gov.
    A statement of need for and objectives of this rule is provided 
earlier in the preamble and is not repeated here. This rule will not 
impose any recordkeeping or reporting requirements. NMFS received 
comments on the proposed rule and supplementary reports during the 60-
day comment period; no comments were received on the initial regulatory 
flexibility analysis for this action.
    We identified the impacts to small businesses by considering the 
seven activities most likely impacted by the designation: (1) In-water 
construction (including dredging); (2) energy development (including 
renewable energy projects); (3) activities that affect

[[Page 35090]]

water quality; (4) aquaculture/mariculture; (5) fisheries; (6) 
environmental restoration and response activities (including responses 
to oil spills and vessel groundings, and marine debris clean-up 
activities); and (7) some military activities. As discussed in the 
Economic Impacts of Designation section of this proposed rule and the 
Economic Report, the only entities identified as bearing economic 
impacts (above administrative costs) by the potential critical habitat 
designation are two developers of offshore wind energy projects; 
however, these entities exceed the criterion established by SBA for 
small businesses (Cardno 2018). Although considered unlikely (NMFS 
2018a), there remains a small, unquantifiable possibility that 
federally-managed longline boats (i.e., deep-set or shallow-set 
fisheries) could be subject to additional conservation and management 
measures. At this time, however, NMFS has no information to suggest 
that additional measures are reasonably necessary to protect prey 
species. Chapter 13 of the Economic Report provides a description and 
estimate of the number of these entities that fit the criterion that 
could be impacted by the designation if future management measures were 
identified (Cardno 2018). Due to the inherent uncertainty involved in 
predicting possible economic impacts that could result from future 
consultations, we acknowledge that other unidentified impacts may 
occur.
    In accordance with the requirements of the RFA, this analysis 
considered alternatives to the critical habitat designation for the MHI 
IFKW that would achieve the goals of designating critical habitat 
without unduly burdening small entities. The alternative of not 
designating critical habitat for the MHI IFKW was considered and 
rejected because such an approach does not meet our statutory 
requirements under the ESA. We also considered and rejected the 
alternative of designating as critical habitat all areas that contain 
at least one identified essential feature (i.e., no areas excluded), 
because the alternative does not allow the agency to take into account 
circumstances in which the benefits of exclusion for economic, national 
security, and other relevant impacts outweigh the benefits of critical 
habitat designation. Finally, through the ESA 4(b)(2) consideration 
process, we identified and selected an alternative that may lessen the 
impacts of the overall designation for certain entities, including 
small entities. Under this alternative, we considered excluding 
particular areas within the designated specific area based on economic 
and national security impacts. This selected alternative may help to 
reduce the indirect impact to small businesses that are economically 
involved with military activities or other activities that undergo 
section 7 consultation in these areas. However, as the costs resulting 
from critical habitat designation are primarily administrative and are 
borne mostly by the Federal agencies involved in consultation, there is 
insufficient information to monetize the costs and benefits of these 
exclusions at this time. We did not consider other economic or relevant 
exclusions from critical habitat designation because our analyses 
identified only low-cost administrative impacts to Federal entities in 
other areas not proposed for exclusion.
    In summary, the primary benefit of this designation is to ensure 
that Federal agencies consult with NMFS whenever they carry out, fund, 
or authorize any action that may adversely affect MHI IFKW critical 
habitat. Costs associated with critical habitat are primarily 
administrative costs borne by the Federal agency taking the action. Our 
analysis did not identify any economic impacts to small businesses 
based on this designation and current information does not suggest that 
small businesses will be disproportionately affected by this 
designation (Cardno 2018). Although the analysis shows that we could 
have certified that there would not be significant economic impact on a 
substantial number of small entities, we are instead presenting this 
FRFA.
    During a formal section 7 consultation under the ESA, NMFS, the 
action agency, and the third party applying for Federal funding or 
permitting (if applicable) communicate in an effort to minimize 
potential adverse effects to the species and to the proposed critical 
habitat. Communication among these parties may occur via written 
letters, phone calls, in-person meetings, or any combination of these. 
The duration and complexity of these communications depend on a number 
of variables, including the type of consultation, the species, the 
activity of concern, and the potential effects to the species and 
designated critical habitat associated with the activity that has been 
proposed. The third-party costs associated with these consultations 
include the administrative costs, such as the costs of time spent in 
meetings, preparing letters, and the development of research, including 
biological studies and engineering reports. There are no small 
businesses directly regulated by this action and there are no 
additional costs to small businesses as a result of section 7 
consultations to consider.

Coastal Zone Management Act

    Under section 307(c)(1)(A) of the Coastal Zone Management Act 
(CZMA) (16 U.S.C. 1456(c)(1)(A)) and its implementing regulations, each 
Federal activity within or outside the coastal zone that has reasonably 
foreseeable effects on any land or water use or natural resource of the 
coastal zone shall be carried out in a manner which is consistent to 
the maximum extent practicable with the enforceable policies of 
approved state coastal management programs. We have determined that the 
designation of critical habitat for the MHI IFKW DPS is consistent to 
the maximum extent practicable with the enforceable policies of the 
approved Coastal Zone Management (CZM) Program of Hawaii. This 
determination was submitted to the Hawaii CZM Program for review. While 
the Hawaii CZM Program noted comments from Hawaii's Department of Land 
and Natural Resources DAR expressing concerns about the expansiveness 
of the proposed designation, the Hawaii CZM Program concurred with our 
consistency determination in a letter they issued to NMFS on December 
15, 2017. These concerns about the expansiveness of the designation 
were submitted by DAR and are addressed under our responses to Comments 
8 and 10 above.

Paperwork Reduction Act

    The purpose of the Paperwork Reduction Act is to minimize the 
paperwork burden for individuals, small businesses, educational and 
nonprofit institutions, and other persons resulting from the collection 
of information by or for the Federal government. This final rule does 
not contain any new or revised collection of information. This rule, 
does not impose recordkeeping or reporting requirements on state or 
local governments, individuals, businesses, or organizations.

Unfunded Mandates Reform Act (2 U.S.C. 1501 et seq.)

    In accordance with the Unfunded Mandates Reform Act, we make the 
following findings:
    (A) This proposed rule will not produce a Federal mandate. In 
general, a Federal mandate is a provision in legislation, statute, or 
regulation that would impose an enforceable duty upon state, local, 
tribal governments, or the private sector and includes both ``Federal 
intergovernmental mandates'' and ``Federal private sector mandates.'' 
The designation of critical habitat does not impose an enforceable duty 
on non-Federal government entities or private parties. The only 
regulatory effect of a

[[Page 35091]]

critical habitat designation is that Federal agencies must ensure that 
actions that they fund, authorize, or undertake are not likely to 
destroy or adversely modify critical habitat under ESA section 7. Non-
Federal entities that receive funding, assistance, or permits from 
Federal agencies, or otherwise require approval or authorization from a 
Federal agency for an action, may be indirectly affected because they 
receive Federal assistance or participate in a voluntary Federal aid 
program; however, the Federal action agency has the obligation to avoid 
destruction or adverse modification of critical habitat.
    (B) This rule will not significantly or uniquely affect small 
governments. As such, a Small Government Agency Plan is not required.

Consultation and Coordination With Indian Tribal Governments

    The longstanding and distinctive relationship between the Federal 
and tribal governments is defined by treaties, statutes, executive 
orders, judicial decisions, and agreements, which differentiate tribal 
governments from the other entities that deal with, or are affected by, 
the Federal government. This relationship has given rise to a special 
Federal trust responsibility involving the legal responsibilities and 
obligations of the United States towards Indian tribes and the 
application of fiduciary standards of due care with respect to Indian 
lands, tribal trust resources, and the exercise of tribal rights. 
Executive Order 13175, entitled ``Consultation and Coordination with 
Indian Tribal Governments,'' outlines the responsibilities of the 
Federal government in matters affecting tribal interests. ``Federally 
recognized tribe'' means an Indian or Alaska Native tribe or community 
that is acknowledged as an Indian tribe under the federally Recognized 
Indian Tribe List Act of 1994 (25 U.S.C. 479a).
    In the list published annually by the Secretary, there are no 
federally recognized tribes in the State of Hawaii (74 FR 40218; August 
11, 2009). Although Native Hawaiian lands are not tribal lands for 
purposes of the requirements of the President's Memorandum or the 
Department Manual, recent Department of Interior regulations (43 CFR 
50) set forth a process for establishing formal government-to-
government relationship with the Native Hawaiian Community. Moreover, 
we recognize that Native Hawaiian organizations have the potential to 
be affected by Federal regulations and as such, consideration of these 
impacts may be evaluated as other relevant impacts from the 
designation.
    We solicited comments regarding areas of overlap with the 
designation that may warrant exclusion from critical habitat for the 
MHI IFKW due to such impacts mentioned above, and/or information from 
affected Native Hawaiian organizations concerning other Native Hawaiian 
activities that may be affected in areas other than those specifically 
owned by the organization. We received no additional information 
regarding any potential impacts.
    In conclusion we find that this critical habitat designation does 
not have tribal implications, because the final critical habitat 
designation does not include any tribal lands and does not affect 
tribal trust resources or the exercise of tribal rights.

Information Quality Act (IQA)

    Pursuant to the Information Quality Act (section 515 of Pub. L. 
106-554), this information product has undergone a pre-dissemination 
review by NMFS. The signed Pre-dissemination Review and Documentation 
Form is on file with the NMFS Pacific Islands Regional Office (see FOR 
FURTHER INFORMATION CONTACT).

List of Subjects

50 CFR Part 224

    Endangered and threatened species, Exports, Imports, 
Transportation.

50 CFR Part 226

    Endangered and threatened species.

    Dated: July 16, 2018.
Samuel D. Rauch, III,
Deputy Assistant Administrator for Regulatory Programs, National Marine 
Fisheries Service.

    For the reasons set out in the preamble, 50 CFR part 224 and 226 
are amended as follows:

PART 224--ENDANGERED MARINE AND ANADROMOUS SPECIES

0
1. The authority citation for part 224 continues to read as follows:

    Authority:  16 U.S.C. 1531-1543 and 16 U.S.C. 1361 et seq.


0
2. In Sec.  224.101, amend the table in paragraph (h) by revising the 
entry for ``Whale, false killer (Main Hawaiian Islands Insular DPS) 
under the ``Marine Mammals'' subheading to read as follows:


Sec.  224.101  Enumeration of endangered marine and anadromous species.

* * * * *
    (h) * * *

----------------------------------------------------------------------------------------------------------------
                           Species \1\
-----------------------------------------------------------------  Citation(s) for     Critical
                                                  Description of       listing         habitat       ESA rules
         Common name            Scientific name   listed entity   determination(s)
----------------------------------------------------------------------------------------------------------------
                                                 Marine Mammals
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
Whale, false killer (Main      Pseudorca         False killer     77 FR 70915,      Sec.           NA.
 Hawaiian Islands Insular       crassidens.       whales found     Nov. 28, 2012.    226.226.
 DPS).                                            from nearshore
                                                  of the main
                                                  Hawaiian
                                                  Islands out to
                                                  140 km
                                                  (approximately
                                                  75 nautical
                                                  miles) and
                                                  that
                                                  permanently
                                                  reside within
                                                  this
                                                  geographic
                                                  range.
 
                                                  * * * * * * *
----------------------------------------------------------------------------------------------------------------
\1\ Species includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement,
  see 61 FR 4722, February 7, 1996), and evolutionarily significant units (ESUs) (for a policy statement, see 56
  FR 58612, November 20, 1991).


[[Page 35092]]

* * * * *

PART 226--DESIGNATED CRITICAL HABITAT

0
3. The authority citation of part 226 continues to read as follows:

    Authority: 16 U.S.C. 1533.

0
4. Add Sec.  226.226, to read as follows:


Sec.  226.226   Critical habitat for the main Hawaiian Islands insular 
false killer whale (Pseudorca crassidens) Distinct Population Segment.

    Critical habitat is designated for main Hawaiian Islands insular 
false killer whale as described in this section. The maps, clarified by 
the textual descriptions in this section, are the definitive source for 
determining the critical habitat boundaries.
    (a) Critical habitat boundaries. Critical habitat is designated in 
the waters surrounding the main Hawaiian Islands from the 45-meter (m) 
depth contour out to the 3,200-m depth contour as depicted in the maps 
below.
    (b) Essential features. The essential feature for the conservation 
of the main Hawaiian Islands insular false killer whale is the 
following: Island-associated marine habitat for main Hawaiian Islands 
insular false killer whales. Main Hawaiian Islands insular false killer 
whales are island-associated whales that rely entirely on the 
productive submerged habitat of the main Hawaiian Islands to support 
all of their life-history stages. The following characteristics of this 
habitat support insular false killer whales' ability to travel, forage, 
communicate, and move freely around and among the waters surrounding 
the main Hawaiian Islands:
    (1) Adequate space for movement and use within shelf and slope 
habitat;
    (2) Prey species of sufficient quantity, quality, and availability 
to support individual growth, reproduction, and development, as well as 
overall population growth;
    (3) Waters free of pollutants of a type and amount harmful to main 
Hawaiian Islands insular false killer whales; and
    (4) Sound levels that would not significantly impair false killer 
whales' use or occupancy.
    (c) Areas not included in critical habitat. Critical habitat does 
not include the following particular areas where they overlap with the 
areas described in paragraph (a) of this section:
    (1) Pursuant to Endangered Species Act (ESA) section 4(b)(2), the 
following areas have been excluded from the designation: The Bureau of 
Ocean Energy Management Call Area offshore of the Island of Oahu (which 
includes two sites, one off Kaena point and one off the south shore), 
the Navy Pacific Missile Range Facility's Offshore ranges (including 
the Shallow Water Training Range (SWTR), the Barking Sands Tactical 
Underwater Range (BARSTUR), and the Barking Sands Underwater Range 
Extension (BSURE; west of Kauai), the Navy Kingfisher Range (northeast 
of Niihau), Warning Area 188 (west of Kauai), Kaula Island and Warning 
Area 187 (surrounding Kaula Island), the Navy Fleet Operational 
Readiness Accuracy Check Site (FORACS) (west of Oahu), the Navy 
Shipboard Electronic Systems Evaluation Facility (SESEF) (west of 
Oahu), Warning Areas 196 and 191 (south of Oahu), Warning Areas 193 and 
194 (south of Oahu), the Kaulakahi Channel portion of Warning area 186 
(the channel between Niihau and Kauai and extending east), the area 
north of Molokai (found offshore at the outer edge of the designation), 
the Alenuihaha Channel, the Hawaii Area Tracking System, and the 
Kahoolawe Training Minefield.
    (2) Pursuant to ESA section 4(a)(3)(B), all areas subject to the 
Joint Base Pearl Harbor-Hickam Integrated Natural Resource Management 
Pl69.
    (d) Maps of main Hawaiian Islands insular false killer whale 
critical habitat.
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                                               35062               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               DEPARTMENT OF COMMERCE                                   Background                                            Niihau east to Hawaii, with some
                                                                                                           On December 28, 2012, the listing of               exceptions, as MHI IFKW critical
                                               National Oceanic and Atmospheric                         the MHI IFKW (Pseudorca crassidens)                   habitat. In accordance with the
                                               Administration                                           DPS as endangered throughout its range                definition of critical habitat under the
                                                                                                        under the ESA became effective. The                   ESA, this area contained physical or
                                               50 CFR Parts 224 and 226                                 listing cited the population’s high                   biological features essential to
                                                                                                        extinction risk and insufficient                      conservation of the species and which
                                               [Docket No. 120815341–8396–02]                           conservation efforts in place to reduce               may require special management
                                                                                                        that risk (77 FR 70915; November 28,                  considerations or protections. The
                                               RIN 0648–BC45                                                                                                  proposed rule included background
                                                                                                        2012). With approximately 150
                                                                                                        individuals, small population size and                information on MHI IFKW biology and
                                               Endangered and Threatened Wildlife                                                                             habitat use, which is not included here
                                               and Plants: Final Rulemaking To                          incidental take (hooking or
                                                                                                        entanglements) in commercial and                      but the reader may access by referring
                                               Designate Critical Habitat for the Main                                                                        to the proposed rule (82 FR 51186;
                                               Hawaiian Islands Insular False Killer                    recreational fisheries are the highest
                                                                                                        threats to this DPS. However, other                   November 3, 2017).
                                               Whale Distinct Population Segment
                                                                                                        medium-level threats such as                             In the proposed rule, we described the
                                               AGENCY:  National Marine Fisheries                       environmental contaminants,                           physical or biological features essential
                                               Service (NMFS), National Oceanic and                     competition with fisheries for food,                  to the conservation of MHI IFKWs as (1)
                                               Atmospheric Administration (NOAA),                       effects from climate change, and                      island-associated marine habitat for
                                               Commerce.                                                acoustic disturbance may also play a                  MHI IFKWs; (2) prey species of
                                               ACTION: Final rule.                                      role in impeding recovery (NMFS 2016).                sufficient quantity, quality, and
                                                                                                        Under section 4 of the ESA, critical                  availability to support individual
                                               SUMMARY:    We, NMFS, issue a final rule                 habitat shall be specified to the                     growth, reproduction, and development,
                                               to designate critical habitat for the Main               maximum extent prudent and                            as well as overall population growth; (3)
                                               Hawaiian Islands (MHI) insular false                     determinable at the time a species is                 waters free of pollutants of a type and
                                               killer whale (IFKW) (Pseudorca                           listed as threatened or endangered (16                amount harmful to MHI IFKWs, and (4)
                                               crassidens) distinct population segment                  U.S.C. 1533(b)(6)(C)). In the final listing           habitat free of anthropogenic noise that
                                               (DPS) by designating waters from the                     rule, we stated that critical habitat was             would significantly impair the value of
                                               45-meter (m) depth contour to the 3,200-                 not determinable at the time of the                   the habitat for false killer whale use or
                                               m depth contour around the main                          listing, because sufficient information               occupancy. We requested public
                                               Hawaiian Islands from Niihau east to                     was not currently available on the                    comments through January 2, 2018. For
                                               Hawaii, pursuant to section 4 of the                     geographical area occupied by the                     a complete description of our proposed
                                               Endangered Species Act (ESA). We have                    species, the physical and biological                  action, including the natural history of
                                               excluded 14 areas (one area, with two                    features essential to conservation, and               the MHI IKFW, we refer the reader to
                                               sites, for the Bureau of Ocean Energy                    the impacts of the designation (77 FR                 the proposed rule (82 FR 51186;
                                               Management (BOEM) and 13 areas                           70915; November 28, 2012). Under                      November 3, 2017).
                                               requested by the Navy) from the critical                 section 4 of the ESA, if critical habitat             Statutory and Regulatory Background
                                               habitat designation because we have                      is not determinable at the time of listing,           for Critical Habitat
                                               determined that the benefits of                          a final critical habitat designation must
                                               exclusion outweigh the benefits of                       be published 1 year after listing (16                    The ESA defines critical habitat under
                                               inclusion, and exclusion will not result                 U.S.C. 1533(b)(6)(C)(ii)). The Natural                section 3(5)(A) as (i) the specific areas
                                               in extinction of the species.                            Resources Defense Council filed a                     within the geographical area occupied
                                               Additionally, the Ewa Training                           complaint in July 2016 with the U.S.                  by the species, at the time it is listed,
                                               Minefield and the Naval Defensive Sea                    District Court for the District of                    on which are found those physical or
                                               Area are precluded from designation                      Columbia seeking an order to compel                   biological features (1) essential to the
                                               under section 4(a)(3) ofthe ESA because                  NMFS to designate critical habitat for                conservation of the species and (2)
                                               they are managed under the Joint Base                    the MHI IFKW DPS, and a court-                        which may require special management
                                               Pearl Harbor-Hickam Integrated Natural                   approved settlement agreement was                     considerations or protection; and (ii)
                                               Resource Management Plan that we find                    filed on January 24, 2017 (Natural                    specific areas outside the geographical
                                               provides a benefit to the MHI IFKW.                      Resources Defense Council, Inc. v.                    area occupied by the species at the time
                                               DATES: This rule becomes effective                       Penny Pritzker, National Marine                       it is listed upon a determination by the
                                               August 23, 2018.                                         Fisheries Services, 1:16–cv–1442                      Secretary that such areas are essential
                                               ADDRESSES: The final rule, maps, and                     (D.D.C.)). The settlement agreement                   for the conservation of the species. (16
                                               other supporting documents (Economic                     stipulated that NMFS will submit the                  U.S.C. 1532(5)(A)). Conservation is
                                               Report, ESA Section 4(b)(2) Report, and                  final rule to the Office of the Federal               defined in section 3(3) of the ESA as: To
                                               Biological Report) can be found on the                   Register by July 1, 2018.                             use, and the use of, all methods and
                                               NMFS Pacific Island Region’s website at                     Based on the recommendations                       procedures which are necessary to bring
                                               http://www.fpir.noaa.gov/PRD/prd_                        provided in the Draft Biological Report,              any endangered species or threatened
                                               mhi_false_killer_whale.html#critical_                    the initial Regulatory Flexibility                    species to the point at which the
                                               habitat.                                                 Analysis (RFA) and ESA section 4(b)(2)                measures provided pursuant to this Act
                                                                                                        analysis (which considers exclusions to               are no longer necessary (16 U.S.C.
sradovich on DSK3GMQ082PROD with RULES2




                                               FOR FURTHER INFORMATION CONTACT:                         critical habitat based on economic,                   1532(3)). Section 3(5)(C) of the ESA
                                               Susan Pultz, NMFS, Pacific Islands                       national security and other relevant                  provides that except in those
                                               Region, Chief, Conservation Planning                     impacts), we published a proposed rule                circumstances determined by the
                                               and Rulemaking Branch, (808) 725–                        on November 3, 2017 (82 FR 51186) to                  Secretary, critical habitat shall not
                                               5150; or Lisa Manning, NMFS, Office of                   designate waters from the 45-m depth                  include the entire geographical area
                                               Protected Resources (301) 427–8466.                      contour to the 3,200-m depth contour                  which can be occupied by the
                                               SUPPLEMENTARY INFORMATION:                               around the main Hawaiian Islands from                 threatened or endangered species.


                                          VerDate Sep<11>2014   16:23 Jul 23, 2018   Jkt 244001   PO 00000   Frm 00002   Fmt 4701   Sfmt 4700   E:\FR\FM\24JYR2.SGM   24JYR2


                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                          35063

                                                  Section 4(a)(3)(B) prohibits                          into a single essential feature with four                The first characteristic, adequate
                                               designating as critical habitat any lands                characteristics that describe how island-             space for movement and use within
                                               or other geographical areas owned or                     associated marine habitat is essential to             shelf and slope habitat, is used to
                                               controlled by the Department of Defense                  MHI IFKWs; and (2) we have excluded                   describe, in part, the ‘‘island-associated
                                               (DOD) or designated for its use, that are                under section 4(b)(2) the Kaulakahi                   marine habitat’’ feature in the proposed
                                               subject to an Integrated Natural                         Channel portion of Warning area 186,                  rule. We have highlighted this as a
                                               Resources Management Plan (INRMP)                        the area north of Molokai, the reduced                characteristic of the island-associated
                                               prepared under section 101 of the Sikes                  Alenuihaha Channel, the Hawaii Area                   habitat for this final rule in response to
                                               Act (16 U.S.C. 670a), if the Secretary                   Tracking System, and the Kahoolawe                    comments that requested clarity on the
                                               determines in writing that such plan                     Training Minefield due to national                    special management considerations for
                                               provides a benefit to the species, and its               security impacts.                                     this feature. Under the description of
                                               habitat, for which critical habitat is                                                                         this feature, we note the importance of
                                               proposed for designation.                                Single Essential Feature                              supporting these whales’ ability to move
                                                  Section 4(b)(2) of the ESA requires us                   In the proposed rule we identified                 to, from, and around areas of
                                               to designate critical habitat for                        four features that are essential to MHI               concentrated (high) use and provide
                                               threatened and endangered species on                     IFKWs: Island-associated habitat, prey,               details about how activities, such as
                                               the basis of the best scientific data                    water quality, and sound. We received                 large-scale construction or noise, may
                                               available and after taking into                          public comments that questioned the                   act as barriers to movement for these
                                               consideration the economic impact, the                   clarity of some of these features, and                whales within their restricted range.
                                               impact on national security, and any                     whether certain features were                            Characteristics 2 and 3, prey and
                                               other relevant impact, of specifying any                 sufficiently described to meet the                    water quality, have not materially
                                               particular area as critical habitat. This                definition of critical habitat. For                   changed from the proposed rule;
                                               section also grants the Secretary of                     example, one comment criticized the                   however, we do provide more
                                               Commerce (Secretary) discretion to                       feature, island-associated marine habitat             information in our description in the
                                               exclude any area from critical habitat                   for MHI IFKWs, because it lacks                       Physical and Biological Features
                                               upon determining that the benefits of                    objective parameters that warrant                     Essential for Conservation section of
                                               such exclusion outweigh the benefits of                  special management considerations or                  this final rule and in the Biological
                                               specifying such area as part of the                      protections. The commenter requested                  Report about factors that influence these
                                               critical habitat. However, the Secretary                 more clarity on or removal of this                    characteristics. For example, we have
                                               may not exclude areas if this will result                feature.                                              used information provided in the
                                               in the extinction of the species. Our                                                                          Biological Report under diet to provide
                                               regulations provide that critical habitat                   After review of this comment and                   additional detail about the specific
                                               shall not be designated within foreign                   other comments, we recognize the                      types of prey species that these whales
                                               countries or in other areas outside U.S.                 interdependence of movement and                       are known to eat (NMFS 2017b).
                                               jurisdiction (50 CFR 424.12(g)). Once                    space, prey, sound, and water quality                 Additionally, we have provided more
                                               critical habitat is designated, section                  characteristics in identifying island-                information about factors that threaten
                                               7(a)(2) of the ESA requires Federal                      associated habitat that is essential to the           prey and water quality in these
                                               agencies to ensure that actions they                     conservation of the species because                   descriptions.
                                               fund, authorize, or carry out are not                    these habitat characteristics collectively               In the proposed rule we solicited
                                               likely to destroy or adversely modify                    support important life history functions,             comments on the feature ‘‘habitat free of
                                               that habitat (16 U.S.C. 1536(a)(2)). This                such as foraging and reproduction,                    anthropogenic noise that would
                                               requirement is in addition to the section                which are essential for this population’s             significantly impair the value of the
                                               7(a)(2) requirement that Federal                         conservation. Indeed, MHI IFKWs are an                habitat for MHI IFKW use or
                                               agencies ensure their actions are not                    island-associated population of false                 occupancy.’’ We received multiple
                                               likely to jeopardize the continued                       killer whales with their range restricted             comments that suggested removing this
                                               existence of ESA-listed species.                         to the shelf and slope habitat around the             feature for the following reasons: The
                                               Specifying the geographic location of                    MHI, unlike pelagic false killer whales               effects of noise on IFKWs are already
                                               critical habitat also facilitates                        found more in open oceans. Because                    considered under the jeopardy standard
                                               implementation of section 7(a)(1) of the                 these habitat characteristics are                     analysis; the absence of noise is not a
                                               ESA by identifying areas where Federal                   important components to the ecology of                feature of the habitat, there is not
                                               agencies can focus their conservation                    these whales, we have reorganized the                 sufficient scientific justification for the
                                               programs and use their authorities to                    essential features in the proposed rule               feature, and the management of this
                                               further the purposes of the ESA. Critical                into a single feature, island-associated              feature is not clearly described.
                                               habitat requirements do not apply to                     marine habitat for MHI IFKWs, with                       As odontocetes, these whales rely on
                                               citizens engaged in actions on private                   four characteristics that support this                their ability to receive and interpret
                                               land that do not involve a Federal                       feature. The four characteristics include             sound within their environment in
                                               agency. However, designating critical                    (1) adequate space for movement and                   order to forage, travel, and communicate
                                               habitat can help focus the efforts of                    use within shelf and slope habitat; (2)               with one another. Accordingly, island-
                                               other conservation partners (e.g., State                 prey species of sufficient quantity,                  associated habitat must be capable of
                                               and local governments, individuals, and                  quality, and availability to support                  supporting MHI IFKWs’ ability to do so.
                                               nongovernmental organizations).                          individual growth, reproduction, and                  While noise has the potential to affect
                                                                                                        development, as well as overall                       individual whales in a manner that may
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                                               Summary of Changes From the                              population growth; (3) waters free of                 have biological significance (i.e., to
                                               Proposed Rule                                            pollutants of a type and amount harmful               result in a ‘‘take’’ by harassment, injury,
                                                 After considering public comments                      to MHI IFKWs; and (4) sound levels that               or otherwise), scientific information also
                                               received and the best scientific                         will not significantly impair false killer            indicates that the introduction of a
                                               information available, we have made the                  whales’ use or occupancy (see the                     permanent or chronic noise source can
                                               following changes: (1) We have                           Physical and Biological Features section              degrade the value of habitat by
                                               combined the four proposed features                      below for full descriptions).                         interfering with the sound-reliant


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                                               35064               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               animal’s ability to gain benefits from                   Alenuihaha Channel as a portion of the                area that was proposed for designation,
                                               that habitat, impeding reproduction,                     ‘‘waters surrounding the Island of                    and the Kahoolawe Training Minefield
                                               foraging, or communication (i.e.,                        Hawaii’’ exclusion request. NMFS                      overlaps with about 12 km2 (5 mi2) or
                                               altering the conservation value of the                   initially proposed not to exclude these               about 0.02 percent of the area that was
                                               habitat). This reliance on sound,                        areas as included in the larger units                 proposed for designation. These overlap
                                               combined with the whales’ adaptation                     (DON 2017a, as referenced in NMFS                     a small area of low-use and lower
                                               to a restricted range, make sound an                     2017b). We have now reevaluated these                 traveled MHI IFKW habitat.
                                               important characteristic of island-                      geographically limited portions of the
                                               associated habitat. Thus, it is                                                                                   For the other three areas identified in
                                                                                                        initial request in response to
                                               appropriate to consider how chronic                                                                            the Navy’s October 10, 2017 request, as
                                                                                                        information submitted by the Navy on
                                               and persistent noise sources may alter                                                                         well as two additional areas identified
                                                                                                        October 10, 2017, along with the Navy’s
                                               the value of that habitat and manage for                                                                       by the Navy on February 8, 2018, we
                                                                                                        supplemental information limiting the
                                               it.                                                                                                            find that the benefits of designating
                                                                                                        geographic scope of their request to
                                                   To clarify how sound as a                                                                                  critical habitat for MHI IFKWs outweigh
                                                                                                        exclude Alenuihaha Channel. Although
                                               characteristic of habitat supports these                                                                       the benefits of excluding these areas.
                                                                                                        the June 22, 2017 request provided a full
                                               whales and should be managed for this                    description of the defense activities in              The National Security Impacts section
                                               designation, we have revised the                         all of these areas, the Navy’s                        of this rule provides a detailed summary
                                               language of this characteristic to ‘‘sound               supplemental submissions helped                       of our weighing process for all areas,
                                               levels that would not significantly                      improve our understanding of the                      and the full analysis can be found in the
                                               impair MHI IFKW’s use or occupancy.’’                    geographic scope of the particular                    ESA Section 4(b)(2) Report (NMFS
                                               For this characteristic we describe the                                                                        2018b).
                                                                                                        impacts to national security. For
                                               importance of sound in this
                                                                                                        example, the Navy clarified that the                     Thus, given these changes, in total we
                                               populations’ ecology and describe how
                                                                                                        Channel Portion of the W–186 area is                  have excluded 14 areas (one area, with
                                               noise sources may alter the value of
                                                                                                        used to support military activities                   two sites, for BOEM and 13 areas
                                               their habitat. After considering public
                                                                                                        occurring on the Pacific Missile Range                requested by the Navy from the critical
                                               comments, we recognize that the mere
                                                                                                        Facility (PMRF) Offshore Areas and that               habitat designation because we have
                                               presence of noise in the environment—
                                                                                                        the area north of Molokai provides                    determined that the benefits of
                                               even noise that might result in
                                                                                                        unique bathymetry that supports the                   exclusion outweigh the benefits of
                                               harassment—does not necessarily result
                                               in adverse modification of critical                      Submarine Command Course (DON                         inclusion, and exclusion will not result
                                               habitat. Rather, chronic exposure to                     2017b, DON 2018). Supplemental                        in extinction of the species. The
                                               noise as well as persistent noise may                    information also identified the unique                excluded areas are: (1) The BOEM Call
                                               impede the population’s ability to use                   training capabilities provided by the                 Area offshore of the Island of Oahu
                                               the habitat for foraging, navigating, and                bathymetry of the Hawaii Area Tracking                (which includes two sites, one off Kaena
                                               communicating, and may deter MHI                         System and the instrumentation found                  point and one off the south shore); (2)
                                               IFKWs from using the habitat entirely                    within the Kahoolawe Training                         the Navy Pacific Missile Range Facility’s
                                               (see also our response to Comment 6                      Minefield, which support military                     Offshore ranges (including the Shallow
                                               and the Physical and Biological                          readiness. Additionally, with respect to              Water Training Range (SWTR), the
                                               Features Essential for Conservation                      the Alenuihaha Channel, our exclusion                 Barking Sands Tactical Underwater
                                               section of this rule).                                   decision is limited to the deeper areas               Range (BARSTUR), and the Barking
                                                                                                        of the Channel that support Undersea
                                               Additional National Security Exclusions                                                                        Sands Underwater Range Extension
                                                                                                        Warfare training exercises; these waters
                                                                                                                                                              (BSURE; west of Kauai)); (3) the Navy
                                                  In the proposed rule we noted that we                 include approximately 2,609 square
                                                                                                                                                              Kingfisher Range (northeast of Niihau);
                                               would be considering six additional                      kilometers (km2) (1,007 square miles
                                                                                                                                                              (4) Warning Area 188 (west of Kauai);
                                               requests submitted by the Navy, which                    (mi2)) of the 4,381 km2 (1691 mi2) area
                                                                                                                                                              (5) Kaula Island and Warning Area 187
                                               were subsets of a larger area that the                   identified in the proposed rule. In light
                                                                                                                                                              (surrounding Kaula Island); (6) the Navy
                                               Navy initially requested for exclusion,                  of our improved understanding of the
                                                                                                        defense activities conducted and the                  Fleet Operational Readiness Accuracy
                                               but which NMFS determined should not
                                                                                                        reduced size of the requested                         Check Site (FORACS) (west of Oahu);
                                               be excluded under 4(b)(2). We reviewed
                                                                                                        exclusions, we now conclude that the                  (7) the Navy Shipboard Electronic
                                               these six areas along with four
                                                                                                        benefits of exclusion outweigh the                    Systems Evaluation Facility (SESEF)
                                               additional areas requested by the Navy
                                               consistent with the criteria reviewed for                benefits of designating critical habitat,             (west of Oahu); (8) Warning Areas 196
                                               all other areas considered for national                  and that granting these exclusions will               and 191 (south of Oahu); (9) Warning
                                               security exclusion for this rule.                        not result in extinction of the species.              Areas 193 and 194 (south of Oahu); (10)
                                                  For the Kaulakahi Channel Portion of                  The Kaulakahi Channel Portion of W–                   the Kaulakahi Channel portion of
                                               W–186, the area north of Molokai, a                      186 area overlapped with approximately                Warning area 186 (the channel between
                                               reduced portion of the Alenuihaha                        1,631 km2 (630 mi2) or approximately 3                Niihau and Kauai and extending east);
                                               Channel, the Hawaii Area Tracking                        percent of the area that was proposed                 (11) the area north of Molokai; (12) the
                                               System, and the Kahoolawe Training                       for designation, the area north of                    Alenuihaha Channel, (13) the Hawaii
                                               Minefield (NMFS 2018b), we find that                     Molokai overlapped with approximately                 Area Tracking System, and (14) the
                                               the benefits of exclusion for national                   596 km2 (230 mi2) or approximately one                Kahoolawe Training Minefield. In
                                               security outweigh the benefit of                         percent of the area that was proposed                 addition, the Ewa Training Minefield
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                                               designating MHI IFKW critical habitat.                   for designation, and the Alenuihaha                   and the Naval Defensive Sea Area are
                                               On June 22, 2017, the Navy requested                     Channel overlapped with approximately                 precluded from designation under
                                               exclusion of each of these areas as a                    2,609 km2 (866 mi2) or approximately 5                section 4(a)(3) of the ESA because they
                                               subset of a larger ‘‘Entire Area.’’ The                  percent of the area that was proposed                 are managed under the Joint Base Pearl
                                               Navy also identified the area north of                   for designation. The Hawaii Area                      Harbor-Hickam Integrated Natural
                                               Molokai for exclusion as a subset of the                 Tracking System overlaps with about 96                Resource Management Plan that we find
                                               ‘‘four islands region,’’ and the                         km2 (37mi2) or about 0.2 percent of the               provides a benefit to the MHI IFKW.


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                         35065

                                               Summary of Comments and Response                         currently not considered a ‘‘major’’                  necessary in the future, and that a
                                                 We requested comments on the                           threat to this DPS or their habitat. As               project’s specific details, such as
                                               proposed rule to designate critical                      noted in the MHI IFKW Recovery                        discharge location, chemical or
                                               habitat for the MHI IFKW and                             Outline (NMFS 2016a), which                           biological composition, frequency,
                                               associated supporting reports as                         categorizes the significance of threats to            duration, and concentration, will help
                                               described above. We received 26                          this DPS from low to high, the threat of              determine necessary conservation
                                               individual submissions in response to                    incidental take (e.g., entanglements or               measures.
                                                                                                        hookings) in federally-managed longline                  With regard to military activities, the
                                               that request. We have considered all
                                                                                                        fisheries is considered low because                   Draft Biological Report indicated that a
                                               public comments, and provide
                                                                                                        about 95 percent of the DPS’ range is                 wide variety of activities were covered
                                               responses to all significant issues raised
                                                                                                        within the Main Hawaiian Islands                      by this category including training,
                                               by commenters that are relevant to the                                                                         construction, and research activities
                                                                                                        Longline Fishing Prohibited Area that
                                               proposed designation of MHI IFKW                                                                               undertaken by the Department of
                                                                                                        surrounds the MHI (NMFS 2016a; See
                                               critical habitat. We have not responded                                                                        Defense. We have revised the Final
                                                                                                        50 CFR 229.37(d)). Further, we note that
                                               to comments or concerns outside the                                                                            Biological Report to clarify that RIMPAC
                                                                                                        fishery interactions, such as
                                               scope of this rulemaking, including                                                                            exercises are included among the
                                                                                                        entanglements and hooking, are
                                               comments disagreeing with the listing of                                                                       military training exercises considered
                                                                                                        considered a threat to the individual
                                               this DPS as endangered, or                                                                                     under this category. The report notes
                                                                                                        animals themselves and not the habitat.
                                               recommendations regarding broad ESA                      Such threats are properly analyzed                    that many of the military exercises in
                                               policy issues.                                           under the jeopardy analysis conducted                 the Hawaii Range Complex are subject
                                               Special Management Considerations or                     during the section 7 consultation                     to a five-year MMPA authorization for
                                               Protections                                              process.                                              the incidental take of marine mammals,
                                                                                                           We note that reductions in prey are                which is subject to the consultation
                                                 Comment 1: We received comments
                                                                                                        described as a medium threat, with                    requirements of the ESA. These five-
                                               suggesting that major threats to this DPS                several fisheries potentially contributing            year reviews include the consideration
                                               were not adequately addressed in the                     to this risk. In the Draft Biological                 of exercises that are undertaken during
                                               proposed designation including threats                   Report we reviewed the sustainability of              biannual RIMPAC events.
                                               associated with longline factory fishing                 stocks that are targeted by the federally                With regard to the comment that we
                                               boats, water pollution, and noise                        managed longline fisheries and that are               should not allow RIMPAC to occur in
                                               pollution. Some commenters noted that                    known IFKW prey species. Current                      critical habitat, we note that a critical
                                               the proposal did not mention the threat                  information, although incomplete,                     habitat designation does not restrict
                                               posed by biannual Rim of the Pacific                     suggests that these stocks are                        activities from occurring in critical
                                               (RIMPAC) exercises conducted by the                      sustainably managed and that additional               habitat; it is only during the section 7
                                               Department of Defense. One commenter                     management is not necessary to                        consultation process that effects on
                                               suggested that RIMPAC exercises should                   conserve prey species (NMFS 2018).                    critical habitat are determined and
                                               not be allowed to occur in the proposed                  However, we also note in the Draft and                additional conservation and
                                               critical habitat.                                        Final Biological Report that, as new                  management measures are considered,
                                                 Response: The Special Management                       information becomes available regarding               as appropriate.
                                               Considerations or Protection section of                  MHI IFKW dietary needs or the                            Comment 2: BOEM commented that
                                               the Draft and Final Biological Reports                   sustainability of overlapping fish stocks,            the characterization of offshore energy
                                               (NMFS 2017a, 2018a) provides                             additional management measures may                    projects as a threat to the physical and
                                               information about the types of activities                be taken in the future to ensure that                 biological features of critical habitat is
                                               that raise significant habitat-based                     MHI IFKW critical habitat is not                      not supported by information in the rule
                                               threats, and the special management                      adversely modified.                                   or supporting documents, and that
                                               considerations or protections that may                      With regard to water pollution, we                 NMFS was inconsistent in describing
                                               be necessary to manage or protect the                    have included water quality as a                      the relative risk of activities that are
                                               feature and its characteristics, essential               characteristic of MHI IFKW critical                   identified as possibly threatening
                                               to the conservation of MHI IFKWs.                        habitat because pollutants in marine                  habitat features compared with other
                                               Water pollution, noise pollution, and                    waters of the island-associated habitat               activities. BOEM’s comment noted that,
                                               reductions in prey or habitat were                       affect the quality of prey for this DPS               despite threats from specific energy-
                                               among the threats discussed. This                        and can create environments in which                  related development being described as
                                               section of the reports also identifies                   these whales are at higher risk of                    either uncertain or already managed
                                               seven categories of activities with a                    disease. The Draft and Final Biological               under existing regulatory protections,
                                               Federal nexus (i.e., a project that is                   Reports discuss water quality threats to              the Biological Report suggests that
                                               authorized, funded, or carried out by a                  MHI IFKW habitat under the Activities                 special management considerations
                                               Federal agency) that may have the                        that Contribute to Water Pollution                    would include changes in siting of
                                               potential to contribute to these habitat                 section, and discuss activities that may              energy projects based on the boundaries
                                               threats and that are subject to the ESA                  reduce water or prey quality by                       of proposed critical habitat. BOEM
                                               section 7 consultation process.                          increasing persistent organic pollutants              noted that this contrasts with NMFS’
                                               Specifically, we discussed fisheries,                    (POP) or other chemicals of emerging                  discussion of and recommendations for
                                               activities that contribute to water                      concern, heavy metals, pathogens, or                  the management of fisheries, in which
                                               pollution, and military activities, and                  naturally occurring toxins in Hawaii’s                additional management considerations
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                                               how these activities may impact                          surrounding waters (NMFS 2017a,                       are not suggested for federally managed
                                               available prey resources, water quality,                 2018a). Although we have not identified               commercial fisheries, despite the threat
                                               or sound levels in the marine                            additional management measures                        of reduced prey availability being
                                               environment.                                             beyond the existing protections already               described as a moderate risk for the
                                                 We note that federally managed                         granted from other regulations (e.g., the             listing of this DPS. BOEM recommended
                                               longline fisheries (including the deep-                  Clean Water Act), we note that special                that we ‘‘remove energy activities from
                                               set and shallow-set fisheries) are                       management considerations may be                      [our] list of activities that may threaten


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                                               35066               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               the physical and biological features of                  was installed in the Baltic, while                    Nevertheless, we anticipate that through
                                               critical habitat based on [low risk and                  Scheidat et al. (2011) report increased               the consultation process, NMFS will
                                               uncertain] conclusions made in [our]                     habitat use by harbor porpoises in a                  recommend project-specific
                                               Draft Biological Report and focus                        wind farm in the Dutch North Sea.                     modifications that will help reduce
                                               instead on management considerations                     Accordingly, project-specific details                 impacts to critical habitat, whether that
                                               for other activities that are consistent                 would be required to analyze the                      activity involves commercial fisheries,
                                               with habitat requirements for IFKWs.’’                   relative risk that any particular type of             energy development, or some other
                                                  Response: We conclude that that                       energy development project may have                   Federal action.
                                               offshore energy projects should remain                   on MHI IFKW critical habitat. Due to the
                                               on the list of activities that may affect                uncertainties associated with the size                Essential Features
                                               the physical and biological feature of                   and scope of these projects and their                    Comment 3: The Hawaii Longline
                                               MHI IFKW critical habitat because there                  impact on MHI IFKWs and their habitat,                Association (HLA) provided comments
                                               is sufficient information available to                   we expect that monitoring will be                     noting several reasons why the ‘‘prey’’
                                               suggest that these projects have the                     recommended for many first generation                 feature may not be appropriately
                                               potential to affect MHI IFKW critical                    projects in Hawaiian waters.                          identified as a biological feature
                                               habitat. Offshore energy includes a                         As noted by the Department of                      essential to the conservation of the MHI
                                               broad suite of different projects (e.g.,                 Energy, project location can play a large             IFKW and why the proposed feature
                                               wind, wave, and ocean thermal) that                      role in minimizing the environmental                  should not be used to determine future
                                               may involve constructing or placing                      impacts of any particular project (DOE                fisheries management. These comments
                                               structures in the marine environment, as                 2009). While we do find that impacts to               stated that prey is not a limiting factor
                                               well as operating and maintaining these                  critical habitat from offshore energy                 for this DPS, and noted that the
                                               structures. As cited in the Draft and                    activities may occur, we do not expect                Biological Report’s conclusion, which
                                               Final Biological Reports, the                            that these project siting considerations              anticipated no additional management
                                               Department of Energy acknowledges                        will be raised as late as the formal                  for the longline fisheries, suggests that
                                               that there are common elements among                     section 7 consultation process. Based on              there are no special management
                                               these projects that pose a risk of adverse               BOEM’s objective to work with                         measures required for this feature. HLA
                                               environmental effects including, but not                 regulatory agencies early in the                      noted that without the need for special
                                               limited to, noise during construction                    planning process and to choose                        management measures, this feature does
                                               and operation; alteration of substrates;                 locations that will minimize                          not meet the definition of features that
                                               sediment transportation and deposition;                  environmental impacts (Gilman et al.                  can be used to delineate critical habitat
                                               generation of electromagnetic fields                     2016), we expect that site locations that             under the ESA. HLA also noted that
                                               (EMF); toxicity of paints, lubricants, and               minimize potential effects to MHI                     there is insufficient detail describing the
                                               antifouling coatings; and interference                   IFKWs and their habitat will be made                  prey feature (e.g., standards identifying
                                               with animal movements (Cada 2009).                       early in the planning process. We have                the quantity, quality, or availability of
                                               This list of environmental effects                       made revisions to the Final Biological                prey that is necessary to support MHI
                                               indicates that these projects present risk               Report and Economic Report to help                    IFKW conservation) for NMFS to
                                               to MHI IFKW prey, water quality, sound                   clarify that change in location of                    regulate the fisheries in the future, and
                                               levels, and adequate space for                           projects is not an expected modification              noted that any revised management
                                               movement and use.                                        to be made during section 7                           measures premised upon impacts to the
                                                  As acknowledged in the Draft                          consultation; rather, regulatory agencies
                                                                                                                                                              prey feature would require a revision to
                                               Biological Report (NMFS 2017a),                          are likely to consider the sensitivity of
                                                                                                                                                              the designation and an updated
                                               current information suggests that risks                  the habitat early in the planning process
                                               associated with certain threats may be                                                                         economic analysis to consider the
                                                                                                        and to select sites that will minimize
                                               minimal (e.g., EMF) or sufficiently                                                                            impacts to and any potential exclusions
                                                                                                        any potential environmental effects,
                                               managed under existing regulatory                                                                              for commercial fisheries.
                                                                                                        which is likely to minimize impacts to
                                               regimes (e.g., water quality). However,                  both MHI IFKWs and their critical                        Response: As noted in the Summary
                                               the fact that habitat characteristics may                habitat.                                              of Changes from the Proposed Rule
                                               directly or indirectly benefit from                         With regard to the perceived                       section, we have restructured the feature
                                               existing regulatory regimes is not                       inconsistency between modifications for               essential to the conservation of MHI
                                               determinative of whether energy                          fishery and energy development                        IFKWs to clarify that prey is one of four
                                               development activities have the                          activities, we note that our anticipated              characteristics that support the feature,
                                               potential to adversely affect the feature                modifications to minimize effects to                  island-associated marine habitat for
                                               and characteristics essential to MHI                     MHI IFKW critical habitat vary among                  MHI IFKWs. These characteristics, in
                                               IFKWs, such that the feature may                         activities based on the available                     combination, support the unique
                                               require special management or                            information. We recognize that fisheries              ecology of MHI IFKWs, and each
                                               protection. Further, other risks related                 have the potential to adversely affect                characteristic may require special
                                               to noise and adequate space for                          MHI IFKW prey stocks and have                         management considerations or
                                               movement and use remain relatively                       included this activity in the list of                 protection to support the overall health
                                               unclear because noise sources vary (in                   activities that may affect MHI IFKW                   and recovery of this population.
                                               levels and frequency) among device                       critical habitat. However, as noted in the               The ESA defines critical habitat, in
                                               types, and effects to habitat use as a                   Draft and Final Biological Reports,                   relevant part, as the specific areas
                                               result of structures in the water may                    commercial fisheries are already                      within the geographical area occupied
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                                               vary locally (Bergstrom et al. 2014,                     regulated under catch limits and area                 by the species at the time it is listed on
                                               Teilmann and Carstensen 2012,                            restrictions that help ensure                         which are found those physical and
                                               Scheidat et al. 2011). For example,                      sustainability of fish stocks, and there is           biological features (I) essential to the
                                               Teilmann and Carstensen (2012) report                    no current information suggesting that                conservation of the species and (II)
                                               a decline in harbor porpoise habitat use                 fishery catch rates are adversely                     which may require special management
                                               followed by evidence of slow recovery                    affecting the availability of prey for                considerations or protection, 16 U.S.C.
                                               since a large scale offshore wind farm                   IFKWs (NMFS 2017a and 2018a).                         1532(5)(A)(i).


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                          35067

                                                  Merriam-Webster defines a limiting                    however, the diet of these whales and                 cluster. However, we do have
                                               factor as the environmental factor that is               their energetic requirements are                      information that false killer whales
                                               of predominant importance in                             sufficiently described in the Draft and               prefer pelagic prey species (e.g.,
                                               restricting the size of a population. The                Final Biological Reports (NMFS 2017a                  broadbill swordfish, skipjack tuna,
                                               ESA does not require that a feature be                   and 2018a). Specifically, MHI IFKWs                   albacore tuna, yellowfin tuna, blue
                                               limiting, but only that it be essential to               are known to primarily forage on large                marlin, and bigeye tuna) targeted by
                                               conservation and that it may require                     pelagic fish, including yellowfin tuna,               commercial fisheries. While we do not
                                               special management. It is rare that a                    albacore tuna, skipjack tuna, broadbill               expect modifications to fishery
                                               single factor limits a species’                          swordfish, mahi-mahi, wahoo, and                      management at present, we cannot
                                               conservation; instead, most listed                       lustrous pomfret (for the full list of                assume that Federal regulations that are
                                               species face multiple threats of varying                 dietary items see Table 2 of the Final                designed to maintain sustainable
                                               magnitudes, and the combination of                       Biological Report; NMFS 2018a), and                   fisheries will be adequate by themselves
                                               these threats can hinder recovery. As                    the energetic requirements for the                    to address the prey needs of a
                                               noted in the species’ status review and                  population is estimated to be                         recovering IFKW DPS. Accordingly, we
                                               recovery outline (Oleson et al. 2010 and                 approximately 2.6 to 3.5 million pounds               refrain from speculating as to the need
                                               NMFS 2016a), reductions in prey size                     of fish annually (see the Diet section of             for additional management of this
                                               and biomass as well as environmental                     the Final Biological Report, NMFS                     characteristic as more information
                                               contaminants (received through prey)                     2017a). As noted in the Fisheries section             becomes available in the future.
                                               are medium threats for this DPS (Oleson                  of the Final Biological Report several                   Comment 5: BOEM commented that
                                               et al. 2010, and NMFS 2016a),                            fisheries target or catch MHI IFKW prey               there are no special management
                                               indicating that prey is an element in                    species. At least nine MHI IFKW prey                  considerations or protective measures
                                               supporting recovery of MHI IFKWs.                        species (from Table 2) are taken by the               that can reasonably be attributed to the
                                               Accordingly, the availability of prey is                 Federally managed longline fisheries                  ‘‘Island-associated marine habitat for
                                               an important characteristic that                         (see Table 3 of the Final Biological                  MHI IKFWs’’ feature, without which the
                                               supports the successful growth and                       Report) and several other species are                 feature has little or no utility within the
                                               health of individuals throughout all life-               incidentally caught by the state and                  context of ESA consultations. BOEM
                                               stages. Further, the successful                          Federal bottomfish fisheries. This                    recommended removing the feature to
                                               management of this characteristic,                       overlap in targeted species of fish                   minimize confusion and avoid
                                               which does have competition from                         indicates there may be competition                    unnecessary analyses.
                                               fisheries that catch MHI IFKW prey                       between fisheries and MHI IFKWs. Our
                                                                                                                                                                 Response: As noted in the Summary
                                               within island-associated marine habitat                  designation and associated economic
                                                                                                                                                              of Changes from the Proposed Rule
                                               for MHI IFKWs, will ultimately support                   analysis are based upon the best
                                                                                                                                                              section, we have restructured the feature
                                               recovery of the population.                              available scientific information
                                                  The phrase ‘‘may require’’ indicates                                                                        essential to the conservation of MHI
                                                                                                        available at the time of designation. At
                                               that critical habitat includes features                                                                        IFKWs. The feature, island-associated
                                                                                                        this time, the prey characteristic of the
                                               that may now, or at some point in the                                                                          marine habitat for MHI IFKWs, now
                                                                                                        essential feature meets the definition of
                                               future, be in need of special                            critical habitat, in that it is essential to          consists of four component
                                               management or protection. Similar to                     the conservation of the species and may               characteristics that, in combination,
                                               our analyses in the proposed rule, we                    require special management                            help describe the feature of habitat that
                                               determined that this characteristic of the               considerations or protection.                         is essential to MHI IFKWs. As noted
                                               essential feature may require special                       Comment 4: The Western Pacific                     above, we previously attempted to
                                               management considerations or                             Regional Fishery Management Council                   describe the significance of allowing for
                                               protections due to competition from                      (the Council) submitted comments                      movement to, from, and within this
                                               fisheries that catch MHI IFKW prey.                      noting that they agree with our                       habitat as part of the description of the
                                               Certain laws and regulatory regimes                      assessment of prey competition between                proposed ‘‘island-associated marine
                                               already directly or indirectly protect, to               MHI IFKWs and federally managed                       habitat’’ feature. In the restructured
                                               differing degrees and for various                        fisheries and our conclusion that                     version of the essential feature for this
                                               purposes, the prey characteristic of the                 additional management is not necessary                critical habitat designation, we have
                                               essential feature. However, in                           for these activities. However, the                    specifically described ‘‘adequate space
                                               determining whether essential features                   Council disagreed with statements that                for movement and use within shelf and
                                               may require special management                           future revised management measures                    slope habitat’’ as a characteristic of this
                                               considerations or protection, we do not                  could be necessary for Federal fisheries,             feature. To clarify the special
                                               base our decision on whether                             noting that this was unlikely in the                  management considerations or
                                               management is currently in place, or                     foreseeable future given the diverse prey             protections, each characteristic includes
                                               whether that management is adequate,                     base of MHI IFKWs and given existing                  a discussion of factors that may threaten
                                               but simply that it may require                           protections already in place to manage                or pose a risk to that characteristic. With
                                               management. That is, we cannot read                      healthy levels of pelagic fish stocks.                regard to adequate space for movement
                                               the statute to require that additional                      Response: As noted in our response to              and use within shelf and slope habitat,
                                               special management be required before                    comment 3, we recognize that current                  we specify that human activities that
                                               we designate critical habitat (See Center                information indicates that MHI IFKWs                  interfere with whale movement through
                                               for Biological Diversity v. Norton, 240                  prey on a number of species (see Table                the habitat by acting as a barrier may
                                               F.Supp.2d 1090 (D. Ariz. 2003)). That a                  2 of the Final Biological Report; NMFS                adversely affect this characteristic. We
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                                               feature essential to conservation may be                 2018a) and that their diet is diversified;            also provide examples of activities that
                                               under an existing management program                     however, as noted in the Biological                   may act as barriers to movement, such
                                               is not determinative of whether it meets                 Report, there is little known about                   as large marine structures or sustained
                                               the definition of critical habitat.                      specific diet composition, prey                       acoustic disturbance, and describe
                                                  We recognize that there is uncertainty                preferences, or potential differences                 factors that may intensify these habitat
                                               associated with the relative importance                  among the diets of MHI IFKWs of                       effects, many of which can be
                                               of particular prey items in the diet;                    different age, size, sex, or even social              minimized or mitigated.


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                                               35068               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                                  Comment 6: We received several                        noise’’ does not provide a clear standard                In this rule (see the Physical and
                                               comments (from HLA, State of Hawaii’s                    for determining how this habitat                      Biological Features Essential for
                                               Division of Aquatic Resources (DAR),                     characteristic supports MHI IFKW                      Conservation section) and the Final
                                               BOEM and the Navy) recommending                          conservation within island-associated                 Biological Report (NMFS 2018a) we
                                               that NMFS remove the ‘‘habitat free of                   habitat. However, we still find that                  describe the importance of sound in this
                                               anthropogenic noise’’ feature. The DAR                   sound levels are an important attribute               populations’ ecology and how chronic
                                               noted that noise is related to an activity               of the island-associated habitat that is              noise sources may alter the value of
                                               and is not a feature of the habitat, and                 essential to MHI IFKWs’ conservation.                 their habitat. We recognize that the mere
                                               that anthropogenic noise should be                          As odontocetes, these whales rely on               presence of noise, or even noise which
                                               considered for its potential negative                    their ability to receive and interpret                might cause harassment of the species,
                                               impacts to IFKWs, but it should not be                   sound within their environment in                     does not necessarily result in adverse
                                               an essential feature of the habitat.                     order to forage, travel, and communicate              modification. Rather, we emphasize that
                                               BOEM recommended removing the                            with one another. Accordingly, island-                chronic, or persistent noise sources are
                                               feature from the designation because (1)                 associated habitat must be capable of                 of concern and should be evaluated to
                                               the proposed feature is not an existing                  supporting MHI IFKWs’ ability to do so.               consider the degree to which the noise
                                               physical or biological habitat feature, (2)              While it is clear that noise introduced               may impede the population’s ability to
                                               effects of anthropogenic sound are                       into the environment has the potential                use the habitat for foraging, navigating,
                                               evaluated through the ESA section 7                      to affect individual whales in a manner               and communicating, or whether the
                                               analysis as a direct effect to the DPS,                  that may have biological significance                 noise source may deter MHI IFKWs
                                               and (3) there is insufficient information                (i.e., to result in a take by harassment or           from using the habitat entirely.
                                               available to predict with confidence if,                 injury), scientific information also                     Our designation must be based on the
                                               how, and where noise-related activities                  indicates that the introduction of a                  best available scientific information at
                                               may require additional management as                     permanent, chronic, or persistent noise               the time of designation and this
                                               an element of habitat for the DPS. HLA                   source can degrade the habitat of such                includes considerable information on
                                               noted that it is not appropriate or lawful               sound-reliant species by adversely                    the species’ reliance on sound in the
                                               for NMFS to include the absence of an                    altering the animal’s ability to use the              environment and the effects of sound on
                                               element (sound) as an essential feature.                 habitat for foraging, navigating, or                  their ability to communicate, forage and
                                               HLA noted that the absence of certain                    reproduction (i.e., altering the                      travel. Although we may not be able to
                                               levels of sound is not a tangible physical               conservation value of the habitat). This              predict exactly what noise-related
                                               or biological feature that can be found                  reliance on sound, combined with the                  activities may result in adverse
                                               in a specific area, and that the presence                fact that these whales are adapted to a               modification of critical habitat or the
                                               of sound should be evaluated under the                   restricted range, make sound levels an                management measures that will be taken
                                               ‘‘jeopardy’’ prong of a section 7                        important characteristic of island-                   in the future, we conclude that sound is
                                               consultation because any determination                   associated habitat. Thus, it is                       an important characteristic of this
                                               by NMFS that sound may adversely                         appropriate to consider how permanent,                species’ habitat that may need special
                                               affect the IFKW would be predicated on                   chronic, or persistent noise sources may              management considerations.
                                                                                                        alter the value of that habitat and                      While previous critical habitat
                                               the finding that the sound affects the
                                                                                                        manage for it.                                        designations may not always have
                                               animals, not the animal’s habitat.
                                                                                                           With regard to the comment that this               directly identified sound levels as a
                                               Further, HLA noted that many of NMFS’
                                                                                                        characteristic has not been expressed as              characteristic of critical habitat, we have
                                               past critical habitat designations for
                                                                                                        a feature of the habitat, we considered               considered how anthropogenic noise
                                               other species that are susceptible to                    rephrasing this characteristic to describe            affects habitat use for species that are
                                               adverse effects associated with in-water                 how ambient sound levels support MHI                  susceptible to the adverse effects
                                               sound do not include sound as a feature,                 IFKW’s capacity to forage, navigate, and              associated with in-water sound for
                                               and that we should not change our                        communicate. However, we find that                    example, by creating barriers to passage
                                               existing policy by identifying it as a                   this articulation would not provide                   or movement of Southern Resident
                                               feature for this species. The Navy                       sufficient guidance to the regulated                  killer whales (71 FR 69054; November
                                               submitted comments expressing                            community about human activities that                 29, 2006) and Atlantic sturgeon (82 FR
                                               concerns that the proposed rule did not                  may degrade listening conditions for                  39160, August 17, 2017). Although we
                                               include examples of what activities or                   MHI IFKWs within island-associated                    ultimately did not include sound as an
                                               impacts might adversely affect or                        marine habitat. To clarify how sound as               essential feature for the Southern
                                               adversely modify the proposed sound                      a characteristic of habitat supports these            Resident killer whale, our designation of
                                               feature and requested that NMFS                          whales and how human activities may                   critical habitat for Cook Inlet beluga
                                               remove the feature until such time that                  adversely affect this characteristic we               whales does include the essential
                                               the science becomes more mature.                         have revised the language describing                  feature of the absence of in-water noise
                                                  Response: As noted in our response                    this characteristic from ‘‘Habitat free of            at levels resulting in the abandonment
                                               above and the Summary of Changes                         anthropogenic noise that would                        of habitat by Cook Inlet whales’’ (76 FR
                                               from the Proposed Rule section, based                    significantly impair the value of the                 20180; April 11, 2011).
                                               on this and other comments, we have                      habitat for false killer whales’ use or                  As discussed in the Final Biological
                                               restructured the feature essential to the                occupancy’’ to ‘‘sound levels that would              Report, how human activities that
                                               conservation of MHI IFKWs. In the final                  not significantly impair MHI IFKW’s use               introduce noise in the environment
                                               rule, the several features described as                  or occupancy.’’ We believe that this                  might change the animals’ use of habitat
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                                               independent features in the proposed                     formulation appropriately identifies that             and determining the biological
                                               rule now appear as characteristics that                  these whales rely on sound levels                     significance of that change can be
                                               exist in combination under a single                      within their environment, and that                    complex and involve consideration of
                                               essential feature, island-associated                     noise that alters sound levels such that              site specific variables, including: The
                                               marine habitat for MHI IFKWs. We agree                   it interferes with these whales’ use or               characteristics of the introduced sound
                                               with the commenters that the                             occupancy may result in adverse effects               (frequency content, duration, and
                                               description ‘‘free of anthropogenic                      to MHI IFKW critical habitat.                         intensity); the physical characteristics of


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                         35069

                                               the habitat; the baseline soundscape;                    logical. DAR recommended that NMFS                    and their prey species are also known to
                                               and the animal’s use of that habitat. For                focus on the areas that seem to be                    be broadly ranging, widely migratory
                                               the MHI IFKW designation, we include                     important (i.e., high-use areas) as the               species that are patchily distributed
                                               ‘‘sound levels’’ as a characteristic of the              basis for critical habitat designation.               throughout the whales’ range (Oleson et
                                               essential feature, because it notifies                      Comments received from the Marine                  al. 2010). Additionally, these whales are
                                               Federal agencies of the significance of                  Mammal Commission (MMC) also noted                    observed feeding throughout the low-
                                               sound levels in supporting MHI IFKWs’                    the large size of this designation and the            density areas of their range (Baird et al.
                                               habitat use. Additionally, it allows these               potential difficulty in managing acute                2012). Although the data indicates that
                                               agencies to use the best available                       threats to IFKWs over a broad                         the whales concentrate efforts in certain
                                               information to consider whether their                    designation. However, the MMC also                    areas where foraging success is high,
                                               activities may result in adverse effects to              noted that, for the time being, the size              additional information indicates MHI
                                               MHI IFKW habitat.                                        of this designation was appropriate                   IFKWs continue to forage for prey
                                                                                                        because information necessary to refine               located throughout their range;
                                               Areas Included in the Designation                        this designation is not yet available for             therefore, other areas of the waters
                                                  Comment 7: We received several                        this DPS. The MMC noted that the                      surrounding the MHI meet the
                                               comments in support of the size and                      proposal meets the statutory                          definition of critical habitat.
                                               protections associated with the                          requirements and went on to                              We have not identified the high-use
                                               proposed designation. These comments                     recommend that NMFS continue to                       areas of the range as an independent
                                               generally acknowledged the importance                    undertake and support research needed                 feature of MHI IFKW critical habitat, but
                                               of protecting habitat for this DPS. A                    to refine the designation in the future to            rather as a strong indicator of the
                                               number of these comments noted that                      further support recovery needs for this               presence of characteristics of the
                                               the designation may provide ancillary                    DPS.                                                  essential feature. We also use the
                                               habitat protections, thereby benefiting                     Response: We find that the area
                                                                                                                                                              information about known concentrated
                                               other species, biological resources, or                  designated as critical habitat is
                                                                                                                                                              habitat use to evaluate the conservation
                                               cultural resources in Hawaiian waters.                   appropriate and representative of the
                                                  Response: We agree that critical                                                                            value of areas, as noted in the ESA
                                                                                                        ecological needs of this large marine
                                               habitat designations are important in                                                                          Section 4(b)(2) Report (NMFS 2018b).
                                                                                                        predator. Moreover, it is based on the
                                               supporting thoughtful planning for the                                                                         Because of the concentrated use of this
                                                                                                        best available information, and does not
                                               conservation of a species and, as noted                                                                        habitat, we infer the conservation value
                                                                                                        include the entire range of the DPS. The
                                               in the Draft and Final Economic                                                                                for high-use areas to be higher than low-
                                                                                                        area that is being designated includes
                                               Reports, these designations can provide                                                                        use areas of the range. In other words,
                                                                                                        approximately 26.5 percent of this
                                               ancillary habitat protections to other                                                                         we considered that these high-use areas
                                                                                                        DPS’s range. The boundaries take into
                                               species and resources that overlap with                  consideration the population’s                        of the designation may offer more
                                               those areas (Cardno 2017 and 2018).                      preference for deeper waters just                     benefits to IFKWs and that the loss or
                                                  Comment 8: We received several                        offshore (45 m) and align with habitat                degradation of these areas may result in
                                               additional comments about the overall                    use on the leeward and windward sides                 a greater impact to the DPS as a whole.
                                               size of this designation and the area                    of the islands, while also allowing for               In our response to Comment 5, we note
                                               included. Comments from BOEM and                         travel around and among the islands                   that we revised our Biological Report to
                                               DAR suggested that the size of the                       through the selection of the offshore                 clarify that we expect siting decisions
                                               designation was too large and both                       depth boundary at 3,200 m. While much                 for renewable energy projects to occur
                                               agencies recommended that NMFS                           information has been gained about                     early in the planning stage rather than
                                               focus the designation on high-use areas                  habitat use for this DPS, there is still              at the consultation stage. Nonetheless,
                                               for IFKWs. Specifically, BOEM noted                      more to be learned about how habitat                  we do expect planners to take into
                                               that the proposed designation includes                   use differs among social clusters and                 consideration IFKW use of a particular
                                               the entire area used by this DPS, yet the                over time as seasonal or long-term                    area and to minimize any potential
                                               proposed rule suggests that ‘‘high-use’’                 oceanographic changes influence prey.                 impacts to these whales and their
                                               and ‘‘low-use’’ areas within the                         As noted in this comment, the proposed                habitat. Thus, while the effects of
                                               designation may be used to identify                      rule and the Biological Report (Baird et              certain technologies are largely
                                               special management considerations for                    al. 2012) applied a density analysis to               uncertain, planning groups may choose
                                               siting offshore energy facilities. BOEM                  MHI IFKW satellite tracking information               to avoid placing projects in high
                                               noted that the proposed rule considers                   to identify high-density areas (also                  conservation value areas if alternative
                                               access to high-use areas to be important,                referred to as high-use areas) of the                 locations exist in low-use areas.
                                               but does not describe how access may                     DPS’s range; these portions of the range                 Comment 9: We received comments
                                               be affected by human activities in an                    likely represent particularly important               specific to the boundaries that were
                                               open ocean environment. BOEM                             feeding areas for the animals                         selected for the proposed designation.
                                               recommended focusing on ‘‘high-use                       represented in the data (Baird et al.                 Two comments suggested that NMFS
                                               areas to provide better definition for                   2012). We note however, that the known                reconsider the inner boundary of the
                                               special management considerations                        high-use areas are not necessarily                    designation. In particular, the National
                                               and/or protections of habitat.’’                         representative of all clusters, as very few           Park Service recommended that the
                                                  DAR referred to the large area of the                 animals from some clusters have been                  inner boundary of the designation be
                                               proposed designation at 19,184 mi2 and                   tagged to date. Based on the incomplete               moved to 30 m in depth to incorporate
                                               noted that the proposal seemed overly                    information available, we cannot                      additional areas where this DPS has
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                                               large for 151 animals, providing an                      conclude that the documented high-use                 been documented (in accordance with
                                               average of 127 mi2 per animal. DAR                       areas represent all feeding areas or                  Baird et al. 2010) and to include a buffer
                                               indicated that the non-uniform habitat                   sources of prey essential for the                     zone. Alternatively, DAR suggested that
                                               use patterns of this DPS suggests that all               conservation of this DPS.                             NMFS use IFKW satellite tagging data to
                                               waters within the 45–3,200 m depth                          Rather, current information suggests               select a boundary for the designation.
                                               range are not equally important and that                 that these whales travel great distances              DAR noted that this data seems to
                                               designating all of these waters is not                   throughout the MHI (Baird et al. 2012),               support a critical habitat designation


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                                               35070               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               that is in closer proximity to the islands,              different depth or distance from shore                however, given the limited data
                                               especially near Molokai and Hawaii.                      for each island would provide more                    available and other management
                                                  The Council requested that NMFS                       clarity about MHI IFKW habitat use or                 considerations associated with water
                                               provide further clarification on the basis               management of their habitat around                    quality and sound, we have not limited
                                               for selecting the outer boundary of 3,200                each island; however, prescribing                     the designation to a specific depth. For
                                               m in depth. The Council noted that the                   island-specific boundaries would not                  the Hawaiian monk seal we limited the
                                               depth appears to have been selected to                   better match how these animals use                    critical habitat designation to 10 m from
                                               allow the designation to be drawn in a                   Hawaiian waters. Given the DPS’s non-                 the bottom to help clarify where
                                               continuous range around the MHI and                      uniform treatment of habitat around                   Hawaiian monk seal foraging areas, an
                                               that the designation may include areas                   each island, splitting these data by                  essential feature of the designation, exist
                                               that may not be essential to the                         island may not partition the habitat in               and to help clarify where protections
                                               conservation of the MHI IFKWs. The                       manner that is ecologically meaningful.               should apply (80 FR 50926; August 21,
                                               Council recommended that an                                 With regard to the outer boundary, we              2015). While we recognize that MHI
                                               alternative delineation be made based                    selected the outer depth boundary to                  IFKWs and their prey may limit their
                                               on different depth ranges around each                    incorporate those areas of island-                    habitat use to specific depths,
                                               island and the channels to account                       associated habitat where MHI false                    information about these patterns is still
                                               separately for habitat characteristics                   killer whales are known to spend a                    relatively limited. Further, sound levels
                                               around each island and areas used                        larger proportion of their time (see high-            and water quality, which also support
                                               among islands for movement.                              use discussion in Movement and                        the feature essential to the conservation
                                                  Response: In response to these                        Habitat Use in the Biological Report),                of MHI IFKWs, may be at risk at a wider
                                               comments we re-analyzed the data used                    and to include island-associated habitat              range of depths.
                                               to select the boundaries for this                        that allows for movement between                         Comment 11: One commenter noted
                                               designation as well as new satellite                     islands and around each island. As                    that a study by Baird et al. (2011) found
                                               information received from Cascadia                       noted above, these whales move great                  an island-associated population of false
                                               Research Collective to determine if                      distances throughout the MHI, moving                  killer whales in the
                                               different boundaries may be                              back and forth between areas off                      Papahanaumokuakea Marine National
                                               appropriate. We also reviewed the data                   multiple islands. The 3,200 m depth                   Monument and suggested that this area
                                               by island to consider whether                            boundary best aligns with the span of                 be added to the critical habitat of the
                                               alternative patterns exist at different                  habitat used on the leeward and                       MHI IFKW DPS, because the area is free
                                               depths or distances from shore.                          windward sides of the islands, allowing               of anthropogenic noises, and the listed
                                                  Review of this information revealed                   for ample space for these whales to                   species has been found in this region.
                                               that 2.5–3.8 percent of satellite-tag                    move among areas of concentrated or                   The commenter went on to note that an
                                               locations were shallower than 45 m                       high-use, including habitat across the                expansion of critical habitat into this
                                               across the islands (the higher percent                   core portions of the range.                           region may also shield the DPS from
                                               includes points located on land, which                      We have not revised the boundaries at              climate change impacts and prepare for
                                               likely fall into shallow locations due to                this time because the commenters                      range shifts in the DPS or in their prey
                                               the associated error with these satellite-               requested revisions are not supported by              as a result of climate change.
                                               tag locations). When we mapped                           the data, although some aspects of our                   Response: We have not included areas
                                               shallow satellite-tag locations across the               analysis indicate that further                        of the Papahanaumokuakea Marine
                                               islands, we did not observe clear spatial                consideration may be warranted as                     National Monument in this designation
                                               patterns around each island, but saw                     additional information becomes                        of critical habitat because we find that
                                               that shallower use varied somewhat                       available. The current delineation of 45–             this area is unoccupied habitat outside
                                               between islands. Similar to the                          3,200 m is appropriate because it                     the range of the DPS and is not essential
                                               proposed rule, we then reviewed depth                    includes a depth just offshore where                  to its conservation. To be clear, the MHI
                                               frequency histograms of satellite-tag                    MHI IFKWs are more likely to be found                 IFKW is one of three false killer whale
                                               locations, but considered these locations                and an outer boundary that aligns with                populations found in Hawaiian waters:
                                               specific to each island as requested by                  habitat use on the leeward and                        The MHI IFKW, Northwestern Hawaiian
                                               the above comments. These histograms                     windward sides of the islands, while                  Islands FKW, and pelagic FKW. Only
                                               varied slightly from island to island, but               allowing for travel around and between                the MHI IFKW is listed under the ESA.
                                               we noted that when high-use areas are                    the islands.                                          Although the range of the MHI IFKW
                                               located near islands, the depth                             Comment 10: DAR provided                           overlaps with that of the Northwestern
                                               frequency histogram for that island is                   comments on the vertical extent of this               Hawaiian Islands and pelagic
                                               skewed toward deeper depths,                             designation, noting that NMFS should                  populations, the MHI IFKW range does
                                               indicating these data may be limited in                  limit the designation to those depths                 not extend into the
                                               describing meaningful patterns around                    that are utilized by the DPS and their                Papahanaumokuakea Marine National
                                               the entire island. In addition to                        prey. DAR noted that 1,272 m is the                   Monument. While we can consider
                                               considering depth around each island,                    maximum dive depth recorded for this                  designation of critical habitat outside
                                               we reviewed distance from shore and                      DPS, and recommended that, similar to                 the geographic range of a listed species,
                                               found similarly disparate patterns                       the monk seal critical habitat                        given the unique ecology of the MHI
                                               ranging from 500 m offshore to over                      designation which focuses on the                      IFKW, their reliance on the shelf and
                                               1,200 m. Looking across the islands as                   habitat 10-m from the bottom where                    slope habitat of the MHI, and the fact
                                               a whole, less than four percent of the                   monk seals forage, the IFKW                           that another population of false killer
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                                               satellite-tag locations are found at                     designation focus on the upper 1,500 m                whales occupies the waters of the
                                               depths shallower than 45 m, and this                     of the water column which is the                      NWHI, we find no information to
                                               remains a depth at which the frequency                   portion of the habitat being used by the              suggest that waters in the NWHI are
                                               of satellite-tag locations increases and                 IFKWs.                                                essential to conservation. Further,
                                               remains more consistent.                                    Response: We considered the                        climate change predictions do not
                                                  Throughout this review we                             recommendation to limit this                          provide information that would allow
                                               considered whether prescribing a                         designation to the depth of 1,500 m;                  us to conclude that the NWHI will


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                        35071

                                               provide habitat that is essential to                     benefit to the species for which critical             residential areas, also help to maintain
                                               conserving MHI IFKWs.                                    habitat is being designated. In                       water quality and lower the risk of
                                                                                                        determining whether such a benefit is                 infectious agents being introduced into
                                               Areas Ineligible for Designation
                                                                                                        provided, NMFS considers (1) the extent               MHI IFKW habitat. The Navy’s
                                                 Comment 12: We received several                        of the area and features present; (2) the             participation as an active member of the
                                               comments that disagreed with or                          type and frequency of use of the area by              Toxoplasmosis and At-Large Cat
                                               questioned our determination that the                    the species; (3) the relevant elements of             Technical Working Group helps address
                                               Joint Base Pearl Harbor Hickam (JBPHH)                   the INRMP in terms of management                      issues that JBPHH faces on base and
                                               INRMP provides a benefit to MHI                          objectives, activities covered, and best              encourages a broader response to a
                                               IFKWs. Comments received from the                        management practices, and the certainty               conservation issue that threatens much
                                               MMC, Natural Resources Defense                           that the relevant elements will be                    of Hawaii’s wildlife, including MHI
                                               Council (NRDC), the Center for                           implemented; and (4) the degree to                    IFKWs. Finally, the Navy has issued
                                               Biological Diversity (CBD), and a                        which the relevant elements of the                    fishing restrictions adjacent to and
                                               researcher with the Cascadia Research                    INRMP will protect the habitat from the               within areas that overlap the potential
                                               Collective noted that MHI IFKW habitat-                  types of effects that would be addressed              designation, and conducts creel surveys
                                               use information suggests that the                        through a destruction-or-adverse-                     that provide information about fisheries
                                               overlapping areas (the Ewa Training                      modification analysis. Importantly,                   in unrestricted areas of Pearl Harbor.
                                               Minefield and National Defensive Sea                     NMFS can find that an INRMP provides                  These measures provide protections for
                                               Area) provide important corridors for                    a benefit to a species where, as here, the            and information about the marine
                                               MHI IFKWs and that NMFS should                           species is not directly addressed in the              ecosystem and food web that supports
                                               consider this information in meeting its                 INRMP. In these cases, we consider                    MHI IFKW prey species.
                                               ESA section 4(a)(3) requirements. These                  adaptive conservation management for                     We find that some of these protections
                                               comments also noted that the INRMP                       the feature essential to the conservation             (e.g., stormwater and pollution
                                               was approved prior to the listing of the                 of the species (i.e., its habitat features)           measures or watershed enhancement
                                               MHI IFKW, and therefore does not take                    or the species itself either directly or              activities) address effects that would
                                               into account the unique conservation                     indirectly. We also consider whether                  otherwise be addressed through an
                                               needs of this DPS. Comments from the                     adaptive conservation management                      adverse modification analysis (provided
                                               MMC noted that JBPHH conservation                        measures are effective and reasonably                 they are not already addressed through
                                               measures mentioned in the proposed                       certain to be implemented.                            baseline protections). Other
                                               rule do not provide a direct,                               The JBPHH INRMP overlaps with the                  conservation measures (e.g., controlling
                                               quantifiable, or obviously substantial                   areas under consideration for critical                cats to prevent the spread of
                                               benefit to MHI IFKWs. The MMC                            habitat in two areas, the Naval                       toxoplasmosis and fishery restrictions)
                                               recommended that NMFS withdraw its                       Defensive Sea Area and the Ewa                        address effects to MHI IFKW habitat that
                                               proposed determination and subsequent                    Training Minefield, which include                     otherwise may not be subject to a
                                               preclusion of areas managed under the                    approximately 27 km2 (∼10 mi2) of area                section 7 consultation. In these
                                               JBPHH, but if retained, that the INRMP                   or approximately 0.5 percent of the                   instances, the Navy’s INRMP provides
                                               be updated to include activities that                    areas under consideration for critical                protections aligned with 7(a)(1) of the
                                               benefit IFKWs more directly. In a joint                  habitat. Based on our review of relevant              ESA, which instructs Federal agencies
                                               comment, NRDC and CBD also noted                         data, including supplemental satellite-               to aid in the conservation of listed
                                               that there is not a direct link between                  tracking information from Cascadia                    species.
                                               the JBPHH conservation measures and                      Research Collective (3 new animals), we                  As part of an adaptive management
                                               direct benefits to the MHI IFKW or their                 consider these areas to be low-use (low-              approach for this INRMP, NMFS staff
                                               prey. NRDC and CBD noted that many                       density) areas for MHI IFKWs, and note                participates in JBPHH INRMP annual
                                               of these measures are merely proposed                    that they travel through these areas at               reviews to provide recommendations
                                               and not yet officially included in the                   moderate levels (see Figure 4 of the ESA              about plan implementation and
                                               JBPHH INRMP, which is due to be                          Section 4(b)(2) Report). We therefore                 effectiveness and to receive information
                                               drafted in 2018. NRDC and CBD                            consider these areas to be of low to                  about upcoming plan amendments.
                                               similarly recommended that NMFS re-                      moderate conservation value to MHI                    These reviews help ensure that the plan
                                               evaluate its consideration of whether                    IFKWs in comparison to other areas of                 provides an effective mechanism for
                                               the INRMP provides a benefit to MHI                      the designation.                                      addressing MHI IFKW conservation
                                               IFKWs and that NMFS not preclude                            During development of the proposed                 within areas managed under the JBPHH
                                               these areas from the critical habitat                    rule the Navy highlighted a number of                 INRMP. Specifically, the reviews
                                               designation due to the high                              JBPHH management efforts that benefit                 provide a reliable method for feedback,
                                               conservation value of these areas for                    MHI IFKW habitat. After reevaluation,                 regular assurances that the above-
                                               MHI IFKWs.                                               we still find that the JBPHH INRMP                    described conservation measures are
                                                 Response: In response to these                         provides a number of conservation                     being implemented, and a procedure for
                                               comments we reviewed our                                 measures that benefit MHI IFKWs and                   assessing and modifying measures to
                                               determination regarding the JBPHH                        their habitat, including those that                   ensure conservation effectiveness.
                                               INRMP; we also contacted the Navy for                    address water quality and fishery prey                   Although not essential to our
                                               additional information about the on-                     base (see the Application of ESA Section              determination that the JBPHH INRMP
                                               going implementation and the plans for                   4(a)(3)(B)(i)(Military Lands) section of              provides a benefit to the MHI IFKW, we
                                               revision of this INRMP. As noted in the                  this rule). Specifically, measures taken              also take into consideration additional
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                                               ESA Section 4(b)(2) Report (NMFS                         to improve water quality, including                   future measures that the Navy plans to
                                               2018b), regulations at 50 CFR 424.12(h)                  restoration projects and pollution                    include in updates to the INRMP by
                                               provide that the Secretary will not                      prevention plans, directly improve or                 December 2018. These expected
                                               designate as critical habitat DOD lands                  maintain the water quality characteristic             additional measures include (1) specific
                                               that are subject to an INRMP if the                      of MHI IFKW critical habitat. Actions                 information about MHI IFKWs, (2)
                                               Secretary determines in writing that                     taken to remove feral animals, as well as             where MHI IFKWs may be found in
                                               such plan provides a conservation                        restrictions on free roaming cats in                  areas managed by the installation, (3)


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                                               35072               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               new projects associated with watershed                   the analysis was limited to a discussion              Thus, the administrative costs for
                                               enhancement, and (4) mandatory                           of incremental administrative costs and               fishery activities were estimated
                                               mitigation measures already used by the                  did not describe, quantitatively or                   assuming a similar pattern of
                                               Pacific Fleet to minimize impacts to                     qualitatively, the cost factors associated            consultation. Renewable energy
                                               MHI IFKWs as they use these areas.                       with changes in site selection should                 development activities do not have the
                                               Procedural mitigation measures are                       the proposed critical habitat be                      robust history of consultation in Hawaii
                                               mandatory activity-specific measures                     interpreted to require such changes.                  that fishery activities have. As such, we
                                               taken to avoid or reduce the potential                   BOEM noted that even small changes to                 estimated the administrative costs for
                                               impacts on biological resources from                     siting decisions can equate to large                  these activities based on information
                                               stressors, including those that may                      costs, and that during initial planning               provided about three anticipated
                                               cause acoustic or physical disturbance                   these decisions can impact the viability              projects within the next 10 years (the
                                               to marine mammals during Navy                            of developing reliable and cost-effective             time frame of the analysis), which are
                                               training and testing. These procedural                   renewable energy resources.                           assumed to require formal consultation.
                                               measures are required in the Navy’s                      Additionally, BOEM noted that ‘‘the                   BOEM and Hawaii State Energy staff
                                               Protective Measures Assessment                           economic report does not appear to                    indicated that there was uncertainty
                                               Protocol consistent with letters of                      reconcile the estimated increases in                  regarding whether the projects would be
                                               authorization for training activities                    administrative costs between sectors                  implemented in the next ten years. As
                                               issued under the MMPA and supporting                     [comparing energy and fisheries] when                 such, the administrative cost estimates
                                               ESA analyses. Procedural mitigation                      compared with its conclusions for the                 for energy activities were estimated in a
                                               measures are adaptively managed as                       management needs that are used to                     range from a low of 0 to a high of 16,000
                                               new information becomes available                        justify incremental increases in                      dollars, to reflect alternatives in which
                                               about effective mitigation techniques                    administrative costs.’’                               none of the projects occur (0 dollar
                                               and are identified in the current Hawaii-                   Response: As noted in our response to              estimate) and all three projects occur
                                               Southern California Training and                         Comment 2, we expect that BOEM will                   and require consultation in the next 10
                                               Testing Final Environmental Impact                       make site location decisions that                     years (16,000 dollar estimate).
                                               Statement. Examples of measures                                                                                   Comment 14: DAR provided
                                                                                                        minimize potential effects to MHI
                                               include training personnel to spot and                                                                         comments suggesting that Federal
                                                                                                        IFKWs and their habitat early in the
                                               identify marine mammals (lookouts),                                                                            agencies may not be the only ones
                                                                                                        planning process (Gilman et al. 2016).                impacted by a broad designation and
                                               reporting requirements for trained
                                                                                                        We also note that current potential site              noted that an overly broad critical
                                               lookouts, and halt or maneuvering
                                                                                                        locations are predominantly found in                  habitat designation wouldn’t necessarily
                                               requirements when marine mammals
                                                                                                        low-use habitat areas. Accordingly, we                identify important habitats that are
                                               are spotted within identified mitigation
                                                                                                        have revised the Biological Report to                 essential for the conservation of the
                                               zones of Navy activities (DON 2013 and
                                                                                                        clarify that site relocation is not an                species and could unintentionally and
                                               2017c). Although not restricted to the
                                                                                                        anticipated modification identified                   unnecessarily, increase management
                                               JBPHH areas, these mandatory
                                                                                                        during section 7 consultation for this                costs. This comment referred to costs
                                               mitigation measures help ensure that
                                               the Navy will avoid or reduce the                        designation. With regard to the                       and delays to projects associated with
                                               impacts from acoustic stressors on MHI                   comment about estimated increases in                  the management of Essential Fish
                                               IKFWs as the INRMP is updated by                         administrative costs between sectors,                 Habitat (EFH) and suggested that a
                                               December 2018.                                           Chapter 4 of the Economic Report                      broad critical habitat designation could
                                                  After careful review, we are satisfied                (Cardno 2018) points out that the                     result in similar costs and delays.
                                               that the Navy’s 2011 JBPHH INRMP                         administrative costs for each activity are               Response: As noted in our response to
                                               provides a benefit to the MHI IFKW in                    estimated using the number of                         Comment 8, we conclude that this
                                               this relatively small (0.5 percent of                    consultations for that activity over the              designation is representative of the
                                               habitat that overlaps with areas that                    last 10 years (from NMFS section 7                    ecological needs of this endangered
                                               meet the definition of MHI IFKW                          database) as well as any information                  population and is based on the best
                                               critical habitat) area having low-                       gathered about likely future projects that            available information. We do not agree
                                               moderate conservation value to MHI                       may require consultation. These                       that designation is overly broad, as it is
                                               IFKWs. We are satisfied that the Navy’s                  administrative costs take into                        based on habitat characteristics that
                                               documented history of consistent plan                    consideration whether technical                       support important biological needs, and
                                               implementation and their commitment                      assistance, informal, formal, or                      includes less than thirty percent of the
                                               to adaptive management through the                       programmatic consultation is expected                 IFKW’s occupied range. Moreover, as
                                               implementation of mandatory                              and do not include incremental costs                  noted in the Economic Report (Cardno
                                               mitigation measures will ensure that                     associated with any recommended                       2018), the economic impacts of this
                                               MHI IFKWs receive benefits under the                     project modifications to minimize the                 designation are low because the
                                               JBPHH INRMP, particularly with respect                   impacts to critical habitat (see Table 4–             designation does not include many
                                               to improving watershed health in the                     1; Cardno 2018). The administrative cost              nearshore areas, including developed
                                               Pearl Harbor area, which will benefit                    differences between fishery activities                shoreline, harbors and inlets, where a
                                               prey and water quality characteristics.                  and energy activities are therefore based             majority of Hawaii’s marine section 7
                                               Further, we expect that the Navy will                    on the number and type of consultations               consultations occur, and because
                                               continue to strengthen its INRMP                         expected over the next ten years and do               existing regulatory measures provide
                                               through scheduled updates to be                          not include any incremental                           some baseline protections for habitat
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                                               completed by December 2018.                              modification costs associated with                    characteristics, such as water quality
                                                                                                        consultation. Fishery activities regularly            and prey. As such, we anticipate that
                                               Comments on the Economic Impacts                         undergo consultation around Hawaii,                   the costs of this designation will be
                                                  Comment 13: We received comments                      and the consultation history indicated                largely attributed to federally-managed
                                               from BOEM indicating that the                            that this category of activity underwent              fisheries, Department of Defense
                                               proposed rule did not describe the full                  7 formal, 17 informal and 2 technical                 activities, and marine-related
                                               range of the economic effects because                    assistances over the 10-year period.                  construction and energy development,


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                         35073

                                               and we do not anticipate that the                        associated with the size of the requests,             27 already considered in the Draft
                                               additional consultation on effects to                    the control that DOD has over each area,              Biological Report). Using this satellite-
                                               critical habitat will result in significant,             and the likelihood that other Federal                 tag information and the boundaries of
                                               additional project delays or costs.                      activities may require consultation and               the areas under consideration for
                                                 We note that the consultation process                  may occur in each area. For example,                  exclusion, Baird calculated the total
                                               for critical habitat under the ESA and                   both the Kingfisher and Kaula areas are               area requested for exclusion (in km2),
                                               EFH under the Magnuson-Stevens Act                       relatively small in size, and DOD                     percent of the total range, percent of
                                               have different requirements and work                     control and use of these areas are likely             total time spent in an area, days spent
                                               under different timeframes. We have no                   to preclude other Federal activities that             in area (per 100 km2), and the number
                                               basis to conclude that the costs                         would otherwise undergo consultation,                 of visits (per 100 km2). Baird noted that
                                               associated with conserving existing EFH                  thus presenting a lower benefit of                    these analyses show that a number of
                                               are related to costs associated with this                designating critical habitat in these                 areas that are proposed for exclusion are
                                               critical habitat designation.                            areas. In contrast, ‘‘Waters Enroute to               relatively high-use areas or appear to be
                                               Comments on 4(b)(2) Exclusions                           PMRF’’ includes a larger area in which                important as transit areas. Baird noted
                                                                                                        the Air Force’s activities and use are not            that NMFS should reconsider the
                                                  Comment 15: The MMC provided                          likely to preclude other Federal                      exclusion of areas such as FORACS and
                                               comments on the 4(b)(2) weighing                         activities that would otherwise undergo               SESEF based on these calculations.
                                               process for national security exclusions,                consultation. However, based on this                  Baird also noted that the NDSA and Ewa
                                               expressing concerns that, without a                      comment, and the question raised about                Training Minefield, which were
                                               quantitative analysis of benefits to                     inconsistencies in our decision making                determined ineligible under 4(a)(3), also
                                               security or conservation, decisions to                   process, we have revised tables in our                lie within the same important transit
                                               designate or exclude an area from the                    ESA Section 4(b)(2) Report to articulate              corridor off Oahu, and that NMFS
                                               designation based on qualitatively                       more clearly the differences in our                   should reconsider this decision in terms
                                               balancing IFKW use with potential                        determinations for this weighing                      of the costs of not including these two
                                               regulatory compliance burden appear to                   process.                                              areas in critical habitat. Comments
                                               be somewhat arbitrary. The MMC,                             As noted above, we have reassessed                 received from NRDC also requested that
                                               provided examples: ‘‘Waters Enroute to                   our evaluation of the waters south and                we reconsider the exclusion of
                                               PMRF,’’ Kingfisher Range, and Kaula                      east of PMRF (the Kaulakahi Channel                   FORACS, SESEF, and Kingfisher in light
                                               and Warning Area 187, in which NMFS                      portion of Warning area 186) after                    of these areas being high transit areas.
                                               chose not to exclude the first area and                  considering supplemental information                     With regard to the six additional areas
                                               to exclude the second and third areas,                   furnished by the Navy in October of                   under consideration for exclusion, Baird
                                               using essentially the same reasoning of                  2017, and for the reasons discussed                   noted that only one area, the Kaulakahi
                                               having low MHI IFKW use and a minor                      above, we concluded that the benefits of              Channel Portion of W–186, represents
                                               impact to the Navy’s consultation. The                   excluding this area outweigh the                      an area that is likely not particularly
                                               MMC recommended that NMFS                                benefits of designation. While the                    important to the population. The other
                                               reconsider its benefit analysis, and                     Kaulakahi Channel portion of Warning                  five areas, however, represent areas
                                               investigate methods to draw                              area 186 overlaps in part with the                    where MHI IFKWs spend a
                                               equivalence, ideally quantitative,                       ‘‘Waters Enroute to PMRF,’’ these two                 disproportionate amount of time. NRDC
                                               between conservation benefits inferred                   areas were assessed independently                     and the CBD also commented that the
                                               from IFKW usage and benefits of relief                   based on differences in the geographic                NMFS should not exclude the area
                                               from potential regulatory compliance                     scopes of the requests made by the Air                south of Oahu, the Kaiwi Channel, or
                                               impacts.                                                 Force and Navy, as well as differences                the Alenuihaha Channel due to the
                                                  Response: We have not identified a                    in the activities occurring in these areas            importance of areas to MHI IFKWs.
                                               quantitative method to compare the                       (DOAF 2017, DON 2017b, DON 2018).                        Response: We have reanalyzed the
                                               benefits of excluding particular areas for               Although our independent weighing of                  areas under consideration for exclusion
                                               national security to the benefits of                     the Air Force’s request for the ‘‘Waters              using the Navy’s initial June 2017
                                               designation of critical habitat for MHI                  Enroute to PMRF’’ area did not change,                request, as supplemented by its October
                                               IFKWs. A qualitative approach allows                     we note that a portion of this area is                2017 input and Baird’s updated satellite
                                               us to better evaluate the different factors              now excluded from critical habitat                    tracking information. As noted in the
                                               that weigh in the balancing test. We                     because it overlaps with the Kaulakahi                Draft ESA Section 4(b)(2) Report (NMFS
                                               note that even where we have                             Channel portion of Warning area 186,                  2017b), for the proposed rule we relied
                                               quantitative information, that                           where the benefits of exclusion (for                  on density analysis of satellite-tracking
                                               information is incomplete and may                        Navy activities) were found to outweigh               data to provide information about MHI
                                               require qualitative assessment. For                      the benefits of designation.                          IFKW habitat use, and the conservation
                                               example, in our comparison of benefits                      Comment 16: Cascadia Research                      value for high-use areas was inferred to
                                               of exclusion versus benefits of                          Collective’s Researcher Robin Baird,                  be higher than low-use areas of the
                                               designation, we consider MHI IFKW                        Ph.D., provided additional information                range. For particular areas of the range,
                                               habitat use in areas where satellite                     about MHI IFKW habitat use for 13 of                  we also used additional information
                                               tracking information may be                              the areas analyzed in our 4(b)(2)                     (e.g., observational data of MHI IFKWs
                                               underrepresented (e.g., areas known to                   national security exclusion process as                from boat surveys in portions of the
                                               be used by cluster 2 and 4 animals).                     well as the six additional areas we                   MHI) that may supplement our current
                                                  With regard to the ‘‘Waters Enroute to                identified in the proposed rule but for               understanding of MHI IFKW habitat use
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                                               PMRF,’’ Kingfisher Range, and Kaula                      which we did not include a proposed                   patterns, because current information
                                               and Warning Area 187 examples, we                        exclusion determination. This                         provides a limited representation for
                                               disagree that our weighing process was                   information included analyses of a                    social clusters 2 and 4.
                                               inconsistent in the proposed rule, and                   larger sample size of satellite tag data                 To consider the conservation value of
                                               we note that key differences in our                      from that reported in the Draft                       a particular area relative to other areas
                                               analyses outlined in the ESA Section                     Biological Report (i.e., 3 additional                 of the potential designation, we overlaid
                                               4(b)(2) Report turned on differences                     individuals’ data was included with the               tracking information from Cascadia


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                                               35074               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               Research Collective across the whole                     training, which only overlaps with low-               Similarly, NRDC and CBD noted that the
                                               area under consideration for designation                 use and low-travel areas.                             public should have the opportunity to
                                               using the grid squares from the high-                       For the Kaulakahi Channel Portion of               comment on the exclusion of any of
                                               density areas analysis (from Baird et al.                W–186, the area north of Molokai, and                 these areas, given the large size and
                                               2012). We calculated the number of                       the reduced Alenuihaha Channel area                   overlap with significant proportion of
                                               times tagged animals passed through                      (NMFS 2018b), we found that the                       the proposed critical habitat
                                               each grid square and used the standard                   benefits of exclusion for national                    designation.
                                               deviation from these calculations to                     security outweigh the benefits of                       Response: As explained above, we
                                               display travel areas from high to low                    designating MHI IFKW critical habitat.                have exercised our discretion to exclude
                                               across the range, similar to the high-                   We note that on June 22, 2017, the Navy               three of the six sites requested, the
                                               density areas. We incorporated                           requested exclusion of these areas as a               Kaulakahi Channel Portion of W–186,
                                               information relevant to travel within                    subset of the larger ‘‘Entire Area’’ and,             the area north of Molokai, and the
                                               these areas into our considerations with                 in the case of the area north of Molokai,             reduced Alenuihaha Channel area
                                               regard to the benefits of designation,                   as a subset of the ‘‘four islands region.’’           (NMFS 2018b), because we find that the
                                               along with information that may                          NMFS initially proposed not to exclude                benefits of exclusion for national
                                               supplement our knowledge of particular                   these two larger units. Although the                  security outweigh the benefit of
                                               areas with regard to MHI IFKWs (see                      June 22, 2017, request provided a full                designating MHI IFKW critical habitat.
                                               ESA Section 4(b)(2) Report for                           description of the defense activities in              As indicated above, on June 22, 2017,
                                               additional detail; NMFS 2018b).                          these areas (DON 2017a as referenced in               the Navy requested exclusion of these
                                                  Looking at the maps of MHI IFKW                       NMFS 2017b), the Navy’s supplemental                  areas as a subset of a larger ‘‘Entire
                                               high-density and travel information,                     submission in October 2017 helped                     Area’’. The Navy also requested
                                               FORACS includes areas that fall within                   improve our understanding of the                      exclusion of the area north of Molokai
                                               low-use areas and moderate to low                        geographic scope of the particular                    as a subset of the larger ‘‘four islands
                                               transit areas, and SESEF and Kingfisher                  impacts to national security in the                   region’’. In the proposed rule, we
                                               generally fall within low-use areas and                  Kaulakahi Channel Portion of W–186                    determined that these areas did not
                                               low transit areas. After taking into                     and the area north of Molokai (see                    warrant exclusion as part of the larger
                                               consideration DOD’s use of the area                      Figure 2 of the proposed rule (82 FR                  units. While the Navy’s June 22, 2017,
                                               (including the types of activities that                  51186; November 03, 2017) and NMFS                    request provided a full description of
                                               occur here and the uniqueness of that                    2018b). Additionally, the Navy provided               the defense activities conducted in these
                                               activity), the likelihood of changes to                  supplemental information regarding                    areas, the Navy’s supplemental
                                               the consultation, the level of protection                training activities in the Alenuihaha                 submission in October 2017 helped us
                                               already provided by management and                       Channel, and clarified that its request               reassess our initial decision in the
                                               the likelihood of non-DOD actions                        for exclusion included only the deeper                context of a more spatially limited area.
                                               occurring in these areas, we confirm our                 areas of the Channel that support                     Additionally, the Navy clarified that it
                                               initial finding that the benefits of                     Undersea Warfare training exercises. We               was only seeking exclusion of the
                                               excluding these areas for national                       also note that all three of these areas               deeper areas of the Alenuihaha Channel
                                               security still outweigh the benefits of                  represent largely low-use and low-                    that support Undersea Warfare training
                                               designation. While we recognize that                     transit habitat and were identified as                exercises. Because in the proposed rule
                                               travel to, from, and around habitat areas                significant for Navy use and activities.              we identified both the national security
                                               is important for these whales, we find                   Given our improved understanding of                   importance of the areas as well as the
                                               that existing management protections                     the defense activities conducted and the              Navy’s supplemental request limiting
                                               provide adequate levels of protections                   reduced size of the exclusions, we                    the geographic scope of the requested
                                               for these sites and that Navy control and                conclude that the benefits of exclusion               exclusions, we are satisfied that the
                                               use of these areas is likely to deter other              outweigh the benefits of designating                  public was afforded a sufficient
                                               non-DOD actions that may otherwise                       critical habitat, and that exclusions will            opportunity to comment on the
                                               require consultation in these particular                 not result in extinction of the species.              proposed exclusions.
                                               areas. As such we have excluded these                       With respect to the remaining three                  Comment 18: We received several
                                               areas from the final designation.                        sites (the area north and east of Oahu,               comments on the proposed exclusion
                                                  With regard to the six additional areas               the Kaiwi Channel, and the area south                 related to the BOEM Call Area, found
                                               under consideration for exclusion, we                    of Oahu), we found that the benefits of               northwest and south of Oahu.
                                               reviewed each area consistent with the                   designation outweighed the benefits of                  The Navy submitted comments noting
                                               review of all other areas considered for                 exclusion, largely because these areas                that, while the Navy supports the
                                               national security exclusions for this                    represent high-use or high to moderate                exclusion of areas suitable for renewable
                                               rule. We agree with commenters that                      transit areas for MHI IFKWs and other                 energy development, portions of the
                                               three of these areas (the area north and                 non-DOD activities that may require                   currently identified areas (BOEM Call
                                               east of Oahu, the Kaiwi Channel, and                     consultation may occur in these areas.                Areas) are not suitable for renewable
                                               the area south of Oahu) represent high-                     With regard to the comment on the                  energy development, due to national
                                               use or high to moderate travel areas for                 Naval Defensive Sea Area and the Ewa                  security concerns. The Navy asserted
                                               MHI IFKWs. However, the Kaulakahi                        Training Minefield, we refer to our                   that it is committed to bringing
                                               Channel Portion of W–186, and the area                   response to Comment 12 regarding our                  renewable energy to Oahu and has
                                               north of Molokai fall within mostly low-                 decision to find that the JBPHH INRMP                 identified alternative locations which
                                               use and low travel areas of the                          provides a benefit to MHI IFKWs.                      the Navy deems suitable. In support of
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                                               designation. Additionally, as noted in                      Comment 17: We received comments                   identifying areas for renewable energy
                                               the Summary of Changes from the                          from the MMC requesting that NMFS                     development, the Navy completed an
                                               Proposed Rule section above, the                         provide an opportunity for the public to              assessment of areas (see http://
                                               Alenuihaha Channel request was                           comment on the inclusion or exclusion                 greenfleet.dodlive.mil/rsc/department-
                                               reduced in geographic scope to only                      of any of the six areas that were still               of-the-navy-hawaii-offshore-wind-
                                               include those deeper areas of the                        under consideration for national                      compatibility/) around Oahu, noting
                                               Channel that support Undersea Warfare                    security exclusion for the Navy.                      where commercial wind energy projects


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                         35075

                                               are not compatible with military                         in instances in which the exclusion                   Conservation and Management Act), we
                                               activities and identifying only small                    would not result in the extinction of the             find that exclusion of this area will not
                                               sections of the two sites (i.e., two                     DPS and noted that, due to the                        result in the extinction of the species.
                                               sections of the Call Area) that are                      precarious status of IFKWs, the apparent                 Furthermore, we conclude that none
                                               compatible (DON 2016).                                   importance of its entire range to its                 of the exclusions will result in
                                                  Response: We understand that the                      continued existence, and NMFS’                        extirpation of the species. As previously
                                               Navy and BOEM continue to discuss                        inability to identify which factor or                 noted, this population and its habitat
                                               areas that are suitable for military                     factors caused the population to decline              benefit throughout its range from other
                                               activities as well as offshore energy                    in the past and may continue to threaten              protections under the ESA as well as
                                               production and that, through these                       its persistence, the exclusion of any of              other statutes and their regulations. In
                                               consultations, the most suitable sites                   the areas proposed as critical habitat                addition, the exclusions outlined in this
                                               will be selected for wind-energy                         from the final designation could                      rule are limited in scope and include
                                               development. However, in determining                     contribute to the population’s eventual               habitat that is of lower conservation
                                               the economic costs of this designation,                  extirpation.                                          value for this population. Thus, this
                                               we rely on the best available                               Response: As noted in our response                 designation provides protections
                                               information to identify where economic                   above, we have excluded the BOEM Call                 throughout the core portions of the MHI
                                               costs are likely to occur. The two sites                 Area (both of the sites northwest and                 IFKWs’ range and in areas of high
                                               noticed as the BOEM Call Area (81 FR                     south of Oahu) from this designation                  conservation value.
                                               41335; June 24, 2016) remain significant                 (see the Economic Impacts of                             Comment 20: One comment expressed
                                               in meeting Hawaii’s renewable energy                     Designation section) Generally, these                 concerns that the BOEM Call Area
                                               goals as these sites have been identified                areas include low-use and lower transit               identified for exclusion could be subject
                                               as areas where wind resources, water                     areas for MHI IFKWs, although small                   to changes after the public’s ability to
                                               depth, and proximity to shore are                        areas of overlap occur with moderate                  comment and noted that it was not clear
                                               favorable for wind-energy development.                   transit areas along the northeast tip and             if the public will have an opportunity to
                                               Given that the boundaries of these two                   eastern edge of the south Oahu area. As               see and comment on any changes that
                                               sites have not been revised and that the                 noted in the ESA Section 4(b)(2) Report,              could adversely affect protection of the
                                               sites are noted as significant for energy                NMFS is satisfied that there are                      area critical to the survival of this DPS.
                                               development, we have weighed the                         sufficient pathways within critical                      Response: As noted in our responses
                                               benefit of excluding the BOEM Call                       habitat to allow for unimpeded transit                above, we are excluding the BOEM Call
                                               Area based on the economic impacts                       for MHI IFKWs and that the small                      Area that was noticed in our proposed
                                               that may result from this designation.                   overlap in this area will not                         rule and, as a result, revisions have not
                                               After determining that economic                          significantly impede MHI IFKW                         been made to the boundaries. While we
                                               benefits of exclusion outweigh the                       movement to other areas of critical                   recognize that ongoing negotiations
                                               benefits of designation, we have                         habitat, due to the relatively small size             between the Navy and BOEM and
                                               excluded the BOEM Call Area from this                    of this overall exclusion (NMFS 2018b).               additional public participation may
                                               critical habitat designation (see the                    Although large in-water construction                  result in future Call Area boundary
                                               Economic Impacts of Designation                          projects are an activity of concern for               changes, we base our decision on the
                                               section).                                                this DPS, consultations required to                   best information currently available and
                                                  Comment 19: Several other comments                    ensure that activities are not likely to              do not speculate on revisions that may
                                               (received from the MMC; NRDC and                         jeopardize the MHI IFKWs are expected                 occur in the future. The basis for our
                                               CBD (in a joint letter); and the Humane                  to achieve substantially the same                     excluding this area for economic
                                               Society of the United States, the                        conservation benefits of designating this             impacts has not changed from the
                                               Humane Society Legislative Fund, and                     area as critical habitat for this DPS.                proposed rule (see the Economic
                                               Whale and Dolphin Conservation (in a                     Moreover, Federal activities in this area             Impacts of Designation section).
                                               joint letter)) expressed disagreement                    for wind energy development are not                      Comment 21: One comment noted
                                               with NMFS’ weighing of the benefits of                   expected to result in destruction or                  that designation of critical habitat in
                                               exclusion versus the benefits of                         adverse modification of MHI IFKW                      these areas will benefit BOEM, the State
                                               designation for the BOEM Call Area and                   critical habitat.                                     of Hawaii, and prospective offshore
                                               recommended that NMFS not exclude                           Given the significance of this offshore            wind developers by raising awareness
                                               the sites from critical habitat. Among                   area in supporting renewable energy                   that the endangered MHI IFKW may be
                                               these, several comments noted that the                   goals for the State of Hawaii and the                 regularly transiting through the site and
                                               benefits of exclusion do not appear to                   goals of Executive Order 13795, the low               allowing these groups to appropriately
                                               outweigh the benefits of designation,                    administrative costs of this designation,             evaluate the risks of any prospective
                                               particularly because these areas                         the existing baseline protections, and                development.
                                               represent rather large sections of habitat,              the low-use by MHI IKFWs, we find that                   Response: We agree with the
                                               which additional satellite tracking                      the benefits of exclusion of this area                commenter’s assertion that the
                                               information suggests is important to                     outweigh the benefits of designation.                 designation of critical habitat will raise
                                               MHI IFKWs for travel. Comments noted                     Based on our best scientific judgment                 awareness and provide public education
                                               the scientific uncertainty about the                     and acknowledging the relatively small                benefits regarding habitat use of MHI
                                               effects of renewable energy and large-                   size of the area (approximately 0.2                   IFKWs (Cardno 2018), and will allow
                                               scale in-water projects on MHI IFKWs                     percent of the overall designation), and              prospective developers to evaluate the
                                               and their habitat and noted that these                   other safeguards that are in place (e.g.,             risks of developing in particular areas of
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                                               factors should favor providing                           protections already afforded MHI IFKWs                this designation. However, as more fully
                                               additional protections for the habitat of                under its ESA listing, or regulatory                  described above, we also found that for
                                               an endangered DPS with a restricted                      efforts that provide ancillary protections            the BOEM Call Area, the benefits of
                                               range.                                                   to water quality and prey                             exclusion outweigh the benefits of
                                                  In recommending that NMFS not                         characteristics, such as the Clean Water              designation and that exclusion of this
                                               exclude this area, the MMC noted that                    Act as amended by the Oil Pollution                   mostly low-use area of habitat will not
                                               NMFS should only consider exclusion                      Act, or the Magnuson-Stevens Fishery                  result in extinction of this DPS.


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                                               35076               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                                  Comment 22: We received comments                        With regard to the comments about                   updated to include satellite tracking
                                               that expressed concern as well as                        requiring permission and minimizing                   information as of the beginning of
                                               confusion about the areas being                          the impacts of sound, we also refer back              January 2018, and we used this updated
                                               proposed for exclusion and the                           to our response to Comment 1, which                   information to supplement other data
                                               protections associated with critical                     explains that military activities already             upon which we based our exclusions
                                               habitat. One commenter expressed                         undergo consultation to minimize the                  under 4(b)(2) (NMFS 2018b). However,
                                               concern that a fractured critical habitat                impacts of their activities and ensure                we also wish to clarify that the
                                               designation, due to exclusions, would                    they are not likely to jeopardize the                 information used in Baird et al. (2015)
                                               not provide benefits to MHI IFKWs.                       species. Specifically, military readiness             relies on one standard deviation from
                                               Another commenter disagreed with the                     activities in the Hawaii Range Complex                the mean to identify biologically import
                                               exemption of military agencies from this                 are subject to a 5-year MMPA incidental               areas, whereas we have relied on the
                                               rule and noted that the military should                  take authorization for marine mammals,                methods used in Baird et al. (2012)
                                               be required to obtain permission to                      which is subject to ESA consultation.                 using two standard deviations from the
                                               conduct projects within critical habitat.                These review and consultation efforts                 mean to indicate areas of high use.
                                               A third commenter noted that loud                        under the ESA and MMPA help to
                                                                                                                                                              Other Comments
                                               anthropogenic noise created from                         identify management or mitigation that
                                               military activities are in violation of the              may be necessary to minimize adverse                     Comment 24: We received
                                               Marine Mammal Protection Act because                     impacts to MHI IFKWs, and such                        recommendations from DAR that NMFS
                                               it can cause damage to the whales’                       analyses include reviews of the best                  hold public hearings on the Kauai,
                                               echolocation system. This commenter                      scientific information available,                     Maui, and Hawaii Islands, in addition to
                                               suggested that NMFS take into                            including works such as Nachtigall and                the one hearing that was held on Oahu.
                                               consideration a study by Nachtigall and                  Supin (2013), to help identify mitigation             With IFKW high-use areas off Hawaii,
                                               Supin (2013) on the effects of the louder                measures. MHI IFKW critical habitat                   Northern Molokai, and around the
                                               sounds on false killer whale                             will establish an additional                          Maui-Nui complex, DAR noted that
                                               echolocation systems.                                    consideration to the existing ESA                     potential impacts of the proposed
                                                                                                        section 7 consultation process in                     designation could be greater for those
                                                  Response: The 4(b)(2) exclusion                                                                             islands, and that these people should
                                                                                                        designated areas.
                                               process allows us to consider the                                                                              have the opportunity to be heard in the
                                               benefits of designating critical habitat                 Comments on the Biological Report                     process.
                                               compared with the benefit of excluding                      Comment 23: We received comments                      Response: The public comment
                                               particular areas due to economics,                       referring to figures used in the                      period was open for 60 days and, and
                                               national security, or other relevant                     Biological Report. One comment noted                  consistent with 50 CFR 424.16(c), NMFS
                                               impacts, as long as the exclusion of that                that the report illustrates the boundaries            gave notice of and held one public
                                               area will not result in extinction of the                of the critical habitat but fails to                  hearing on the proposed action on the
                                               species. Although we have excluded                       indicate that areas would be excluded.                island of Oahu. The 60-day comment
                                               certain areas from designation, ESA                      This comment recommended that                         period provided ample time and
                                               protections still apply to MHI IFKWs                     NMFS avoid public confusion about the                 opportunity for the public to provide
                                               wherever the species is found                            actual designation by including maps                  comments electronically or by mail. It
                                               (including the excluded areas) due to                    that depicted the full designation,                   should be noted that comments
                                               their listing, and all Federal agencies                  including all exclusions, in this report.             submitted electronically or by mail have
                                               (including military agencies) that                       A comment also requested that we re-                  the same weight as comments made in
                                               authorize, fund, or carry out activities in              examine more recent data when                         public hearings. We held the public
                                               these areas will still be subject to                     reviewing habitat use by this DPS. This               hearing in Honolulu, not only because
                                               section 7 consultation to ensure that                    comment noted that a figure from Baird                this location is centralized for a majority
                                               their activities are not likely to                       et al. (2015) shows areas of higher                   of the state’s population, but also
                                               jeopardize the continued existence of                    habitat use that are not reflected in                 because our Economic Report indicated
                                               the species. It is through this                          Figure 4 of the Biological Report.                    that a majority of the Federal action
                                               consultation process that the effects of                    Response: The Biological Report is                 agencies, regulated entities, and
                                               sound, as well as other effects of the                   completed prior to analyses pursuant to               individual applicants affected by this
                                               action on individuals and the                            4(b)(2) and 4(a)(3) of the ESA, and                   designation are located on Oahu. In
                                               population are considered. Further,                      provides information from the critical                contrast to DAR’s statement of concern,
                                               there are often other regulatory                         habitat review team about features and                we did not find that impacts were likely
                                               protections for marine habitat that will                 areas that meet the ESA definition of                 to be greatest along MHI IFKWs’ high-
                                               support to some degree the                               critical habitat as a first step in the               use areas, because these areas do not
                                               characteristics and feature of MHI                       determination process. Only after these               coincide with areas of high-use for
                                               IFKWs critical habitat (e.g., the Clean                  areas are identified can we determine                 Federal activities, such as offshore
                                               Water Act and the Magnuson-Stevens                       which areas warrant consideration                     development. Aside from this comment,
                                               Fishery Conservation and Management                      under 4(a)(3) or 4(b)(2) of the ESA. That             we received no requests for public
                                               Act). Based on these underlying                          said, we understand the commenter’s                   hearings in other areas of the State and
                                               protections and the designation of                       concerns regarding how maps in this                   found no additional information to
                                               critical habitat, which still includes                   report may mistakenly be taken for the                suggest that impacts would be higher
                                               large contiguous portions of high and                    final designation. To clarify this point,             near MHI IFKWs’ high-use areas.
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                                               low-use habitat, we conclude that MHI                    we have revised the captions to these                    Comment 25: Comments from the
                                               IFKWs will benefit from this                             maps (in the Biological Report)                       Council stated that critical habitat
                                               designation. See the Benefits of the                     indicating that this is not the final                 designations for marine species provide
                                               Designation section and the Economic                     designation and point the reader to the               little conservation benefit for the species
                                               Report (Cardno 2018) for further detail                  final rule. With regard to the request to             unless habitat-related factors are known
                                               regarding direct and ancillary benefits of               use the most recent information, we                   to be inhibiting recovery, and that
                                               designation.                                             note that our information has been                    NMFS did not identify anthropogenic


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                          35077

                                               activities that are likely to negatively                 features. The CHRT’s evaluation and                   travel, forage, communicate, and move
                                               affect the habitat’s essential features.                 recommendations are described in                      freely around and among between the
                                               Accordingly, the Council suggested that,                 detail in the Biological Report (NMFS                 main Hawaiian Islands:
                                               similar to NMFS’ finding for the                         2018a). Beyond the description of the                    (1) Adequate space for movement and
                                               exclusion of renewable energy areas,                     areas, the critical habitat designation               use within shelf and slope habitat—As
                                               section 7 analysis associated with the                   process includes two additional steps                 large marine predators, MHI IFKWs are
                                               listing of the MHI IFKW DPS should                       (although these are not conducted by                  highly mobile, employing a foraging
                                               provide substantially the same                           the CHRT): (1) Identify whether any area              strategy that includes circumnavigating
                                               conservation benefits for most Federal                   may be precluded from designation                     the islands and moving throughout their
                                               activities, including fisheries.                         because the area is subject to an INRMP               range. Generally found in deeper waters
                                                  Response: As noted in the Special                     that we have determined provides a                    just offshore of the MHI, these whales
                                               Management Considerations or                             benefit to the DPS, and (2) consider the              move primarily throughout and among
                                               Protections section of this rule and the                 economic, national security, or any                   the shelf and slope habitat on both the
                                               Biological Report, MHI IFKWs do face                     other impacts of designating critical                 windward and leeward sides of all the
                                               habitat-related threats (NMFS 2018a).                    habitat and determine whether to                      islands. This generally includes depths
                                               As such, we identified anthropogenic                     exercise our discretion to exclude any                ranging from 45 m to 3,200 m. Available
                                               activities that are likely to negatively                 particular areas. These considerations                data indicates that habitat use is not
                                               affect the habitat’s essential features.                 are described further in the Final ESA                uniform in waters that surround the
                                               Further, as noted in our response to                     Section 4(b)(2) Report (NMFS 2018b),                  islands, and may be concentrated in
                                               Comment 3 above, multiple threats                        and economic impacts of this                          certain areas (often described as high-
                                               often act as obstacles to recovery,                      designation are described in detail in                use or high-density areas) that are likely
                                               requiring that a suite of measures be                    the Final Economic Report (Cardno                     to provide greater foraging success than
                                               taken to ensure that imperiled species                   2018).                                                other areas, and that high-use areas may
                                               are able to increase in number and                                                                             be specific to certain social clusters.
                                               eventually thrive. Critical habitat                      Physical and Biological Features                         Human activities can interfere with
                                               designations provide important details                   Essential for Conservation                            movement of the whales and adversely
                                               about habitat characteristics and the                       The ESA does not specifically define               affect their ability to travel to and move
                                               conservation value of habitat, which, in                 physical or biological features; however,             throughout areas of high-use. In
                                               turn, serve as valuable planning tools                   court decisions and joint NMFS–                       particular, large marine structures or
                                               for ensuring that Federal planning and                   USFWS regulations at 50 CFR 424.02                    long-term acoustic disturbance may
                                               development do not limit recovery for                    (81 FR 7413; February 11, 2016) provide               present obstacles to whale movement.
                                               the species. While we found that the                     guidance on how physical or biological                These obstacles could cause the whales
                                               section 7 analysis associated with listing               features are expressed.                               to swim further to reach high-use areas,
                                               would provide substantially the same                        Physical and biological features                   expending additional energy and
                                               conservation benefits within the BOEM                    support the life-history needs of the                 displacing these whales into waters
                                               Call Area, we caution that this finding                  species including, but not limited to,                farther from shore. In severe cases, such
                                               was site-specific and activity-specific                  water characteristics, soil type,                     obstacles may cause the whales to
                                               and may not be true across all areas of                  geological features, sites, prey,                     abandon areas of concentrated use.
                                               the designation or from activity to                      vegetation, symbiotic species, or other                  (2) Prey species of sufficient quantity,
                                               activity.                                                features. A feature may be a single                   quality, and availability to support
                                                                                                        habitat characteristic, or a more                     individual growth, reproduction, and
                                               Critical Habitat Identification                          complex combination of habitat                        development, as well as overall
                                                  In the following sections, we describe                characteristics that support ephemeral                population growth.
                                               the relevant definitions and                             or dynamic habitat conditions. Features                  MHI IFKWs are top predators that
                                               requirements in the ESA and our                          may also be expressed in terms relating               feed on a variety of large pelagic fish
                                               implementing regulations, and the key                    to principles of conservation biology,                and squid. Prey preference and relative
                                               information and criteria used to prepare                 such as patch size, distribution                      importance is still difficult to determine
                                               this critical habitat designation. In                    distances, and connectivity. Features                 for this population; however, commonly
                                               accordance with section 4(b)(2) of the                   may constitute combinations of habitat                described prey species from
                                               ESA and our implementing regulations                     characteristics, and may encompass the                observations include large game fish
                                               at 50 CFR part 424, this final rule is                   relationship between characteristics or               such as mahi mahi, wahoo, yellowfin
                                               based on the best scientific data                        the necessary amount of a characteristic              tuna, albacore tuna, skipjack tuna,
                                               available.                                               needed to support the life history of the             broadbill swordfish and threadfin jack.
                                                  To assist with identifying potential                  species.                                              In addition, analyses from recent
                                               MHI IFKW critical habitat areas, we                         Based on the best available scientific             strandings of insular false killer whales
                                               convened a critical habitat review team                  information and in response to public                 suggest that some species of squid may
                                               (CHRT) consisting of five agency staff                   comments, the CHRT identified the                     play a role in the IFKW diet.
                                               with experience working on issues                        specific biological and physical feature                 Sustained decreases in prey quantity
                                               related to MHI IFKWs and Hawaii’s                        essential for the conservation of the                 and availability in island-associated
                                               pelagic ecosystem. The CHRT used the                     Hawaiian IFKW DPS, as the following:                  waters can decrease foraging success of
                                               best available scientific data and its best              Island-associated marine habitat for                  these whales and eventually lead to
                                               professional judgment to (1) determine                   MHI insular false killer whales.                      reduced individual growth,
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                                               the geographical area occupied by the                       MHI IFKWs are island-associated                    reproduction, and development.
                                               DPS at the time of listing, (2) identify                 whales that rely entirely on the                      Additionally, factors that reduce prey
                                               the physical and biological features                     productive submerged habitat of the                   size and introduce or increase
                                               essential to the conservation of the                     main Hawaiian Islands to support all of               contaminant or toxin levels reduce the
                                               species, and (3) identify specific areas                 their life-history stages. The following              quality of prey for these whales.
                                               within the occupied area containing                      characteristics of this habitat support               Decreased prey size reduces the
                                               those essential physical and biological                  insular false killer whales’ ability to               energetic value gained, while


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                                               35078               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               contaminants and toxins introduced                       at a distance and convey information                  available information to describe the
                                               through prey consumption may put                         about available prey resources to other               areas occupied by this DPS. This is
                                               these whales’ individual health or                       dispersed subgroups of IFKWs. Habitats                because this range includes all locations
                                               reproduction at risk.                                    that contribute to the conservation of                that tagged animals have visited in
                                                  (3) Waters free of pollutants of a type               MHI IFKWs allow these whales to                       Hawaii’s surrounding waters and
                                               and amount harmful to MHI insular                        employ underwater sound in ways that                  accommodates for uncertainty in the
                                               false killer whales.                                     support important life history functions,             data. Therefore, the area occupied by
                                                  Pollutants that reach Hawaii’s marine                 such as foraging and communicating.                   the DPS is the current range as
                                               waters through point source and                             A large body of scientific information             identified in the 2015 SAR, which
                                               nonpoint source pollution have the                       on the effects of anthropogenic noise on              includes 188,262 km2 (72,688 mi2) of
                                               potential to degrade the water quality or                the behavior and distribution of toothed              marine habitat surrounding the MHI
                                               prey quality and increase the health                     whales, including false killer whales,                (Carretta et al., 2016).
                                               risks to MHI IFKWs. As a long-lived, top                 demonstrates that the presence of
                                               marine predator, water quality plays an                  anthropogenic noise can adversely affect              Areas Under Consideration for Critical
                                               important role in supporting the MHI                     the value of marine habitat to MHI                    Habitat
                                               IFKWs’ ability to forage and reproduce                   IFKWs (Shannon et al. 2015, Erbe et al.                  To be eligible for designation as
                                               free from disease and impairment.                        2016, Gedamke et al. 2016, Hatch et al.               critical habitat under the ESA’s
                                               Environmental contaminants, such as                      2016). Of particular concern are those                definition of occupied areas, each
                                               organochlorines, heavy metals, and                       noises that are chronic or persistent and             specific area must contain at least one
                                               other chemicals that persist and accrue                  cause cumulative interference such that               essential feature that may require
                                               in waters surrounding the MHI,                           the animals’ ability to receive benefits              special management considerations or
                                               accumulate in prey species and                           (e.g., opportunities to forage or                     protection. To meet this standard, the
                                               subsequently in MHI IFKWs.                               reproduce) from these habitats is                     CHRT concluded that false killer whale
                                               Biomagnification of some pollutants can                  sufficiently inhibited.                               tracking data would provide the best
                                               adversely affect health in these top                        How human activities that introduce                available information to identify habitat
                                               marine predators, causing immune                         noise in the environment might change                 use patterns by these whales and to
                                               suppression, decreased reproduction, or                  the animals’ use of habitat and the                   recognize where the physical and
                                               other impairments. Water pollution and                   determination of the biological                       biological features essential to their
                                               changes in water temperatures may also                   significance of that change can be                    conservation exist. Cascadia Research
                                               increase pathogens, naturally occurring                  complex and involve consideration of                  Collective provided access to MHI IFKW
                                               toxins, or parasites in surrounding                      site specific variables, including: The               tracking data for the purposes of
                                               waters. MHI insular false killer whales’                 characteristics of the introduced sound               identifying critical habitat for this DPS.
                                               may be exposed to these infectious or                    (frequency content, duration, and                     Due to the unique ecology of this island-
                                               harmful agents (such as bacteria,                        intensity); the physical characteristics of           associated population, habitat use is
                                               viruses, toxins, or parasites) either                    the habitat; the baseline soundscape;                 largely driven by depth. Thus, the
                                               through their prey or directly through                   and the animal’s use of that habitat.                 features essential to the species’
                                               ingestion of contaminated waters.                        NMFS will continue to use the best                    conservation are found in those depths
                                               Exposure to water pollutants are known                   scientific information available to                   that allow the whales to travel
                                               to adversely affect the health and                       analyze chronic or persistent noise                   throughout a majority of their range
                                               reproduction of cetaceans, including                     sources and determine whether they                    seeking food and opportunities to
                                               false killer whales.                                     degrade listening conditions within                   socialize and reproduce.
                                                  (4) Sound levels that would not                       habitat for the IFKW, including but not                  One area has been identified as
                                               significantly impair false killer whales’                limited to, the Technical Guidance for                including the essential feature for the
                                               use or occupancy.                                        Assessing the Effects of Anthropogenic                MHI IFKW DPS. This area ranges from
                                                  For the purposes of this final rule,                  Sound on Marine Mammal Hearing, (81                   the 45-m depth contour to the 3,200-m
                                               noises that would significantly impair                   FR 51693; August 04, 2016; NMFS                       depth contour in waters that surround
                                               use or occupancy are those that inhibit                  2016b, or replacement publications).                  the MHIs from Niihau east to the Island
                                               MHI IFKW’s ability to receive and                                                                              of Hawaii (see the Biological Report for
                                               interpret sound for the purposes of                      Geographical Area Occupied by the                     additional detail; NMFS 2018a). MHI
                                               navigation, communication, and                           Species                                               IFKWs are generally found in deeper
                                               detection of predators and prey. Such                      The first steps in the critical habitat             areas just offshore (Baird et al., 2010).
                                               noises are likely to be long-lasting,                    revision process is to define the                     For the proposed rule, MHI IFKW
                                               continuous, and/or persistent in the                     geographical area occupied by the                     tracking locations were used to identify
                                               marine environment and, either alone or                  species at the time of listing, and to                a nearshore depth at which habitat use
                                               added to other ambient noises,                           identify specific areas within this                   by MHI IFKWs is fairly consistent.
                                               significantly raise local sound levels                   geographical area that contain at least               Specifically, MHI IFKW locations were
                                               over a significant portion of an area.                   one of the essential features that may                found to be infrequent at depths less
                                                  False killer whales rely on their                     require special management                            than 45 m (less than 2 percent of
                                               ability to produce and receive sound                     considerations or protection. As noted                locations are captured at these depths),
                                               within their environment to navigate,                    earlier, the best available information               and a spatial pattern was not evident in
                                               communicate, and detect predators and                    indicates that the range of this DPS is               shallower depth locations (i.e., locations
                                               prey. With a foraging strategy that is                   smaller than the range identified at the              were not clumped in specific areas
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                                               adapted to the shelf and slope habitat of                time of listing (77 FR 70915, November                around the MHI). Because the frequency
                                               the MHI, these large marine predators                    28, 2012; Bradford et al., 2015). After               of MHI IFKW locations increased at
                                               travel in subgroups that are dispersed                   reviewing available information, the                  depths greater than 45 m and appeared
                                               from each other but converge when prey                   CHRT noted, and we agree, that the                    to demonstrate more consistent use of
                                               resources are found. Accordingly, these                  range proposed by Bradford et al. (2015)              marine habitat beyond this depth, the
                                               animals rely on their ability to receive                 and recognized in the 2015 NMFS Stock                 45-m depth contour was selected to
                                               and interpret acoustic cues to find prey                 Assessment Report provides the best                   delineate the inshore extent of areas that


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                          35079

                                               would include the proposed essential                     habitat across the core portions of the               effects of each category of activities and
                                               features for MHI IFKWs. An outer                         range.                                                threats on the essential features. For
                                               boundary of the 3,200-m depth contour                       At this time we find that the current              example, activities such as in-water
                                               was selected to incorporate those areas                  delineation of 45–3,200 m allows for                  construction, energy projects,
                                               of island-associated habitat where MHI                   travel around and among the islands                   aquaculture projects, and some military
                                               IFKWs are known to spend a larger                        and incorporates our objectives of                    readiness activities may have impacts
                                               proportion of their time, and to include                 selecting an inner boundary and outer                 on one or more characteristics of the
                                               island-associated habitat that allows for                boundary where MHI IFKWs are most                     essential feature.
                                               movement between and around each                         likely to be found. The full range of
                                                                                                        depths—from the 45-m to the 3,200-m                   Unoccupied Critical Habitat Areas
                                               island.
                                                  In response to some public comments                   depth contours—incorporates                              Section 3(5)(A)(ii) of the ESA
                                               that suggested we choose different                       approximately 90 percent of the tracking              authorizes the designation of specific
                                               boundaries for this designation (see                     locations of MHI IFKW and includes the                areas outside the geographical area
                                               Comment 9 and response), we re-                          feature and characteristics essential to              occupied at the time the species is
                                               analyzed the data used to select the                     the conservation of the MHI IFKWS                     listed, if the Secretary determines ‘‘that
                                               boundaries for this designation, and also                DPS. The area that was under                          such areas are essential for the
                                               analyzed new satellite information                       consideration for critical habitat                    conservation of the species.’’ There is
                                               received from Cascadia Research                          included 56,821 km2 (21,933 mi2) or 30                insufficient evidence at this time to
                                               Collective.                                              percent of the MHI IFKW DPS’ range.                   indicate that areas outside the present
                                                  Review of this information revealed                   Need for Special Management                           range are essential for the conservation
                                               that 2.5–3.8 percent of satellite-tag                    Considerations or Protection                          of this DPS; therefore, no unoccupied
                                               location data were shallower than 45 m                                                                         areas were identified for designation.
                                                                                                           Joint NMFS and USFWS regulations
                                               across the islands (the higher percentage                at 50 CFR 424.02 define special                       Application of ESA Section 4(a)(3)(B)(i)
                                               includes points located on land, which                   management considerations or                          (Military Lands)
                                               likely fall into shallow locations due to                protection to mean methods or                            Section 4(a)(3)(B) of the ESA prohibits
                                               the error associated with these points).                 procedures useful in protecting physical              designating as critical habitat any lands
                                               When shallow points were mapped                          and biological features essential to the              or other geographical areas owned or
                                               across the islands (using GIS), clear                    conservation of listed species.                       controlled by DOD, or designated for its
                                               spatial patterns were not evident across                    Several activities were identified that            use, that are subject to an INRMP
                                               all islands; for some islands shallower                  may threaten the physical and biological              prepared under section 101 of the Sikes
                                               use was seen around a good portion of                    feature essential to conservation such                Act (16 U.S.C. 670a), if the Secretary
                                               the island (e.g., Oahu), while for other                 that special management considerations                determines in writing that such a plan
                                               islands use seemed to vary along                         or protection may be required. This is                provides a benefit to the species for
                                               different portions of the coastline. In                  based on information from the MHI                     which critical habitat is proposed for
                                               addition to considering depth around                     IFKW Recovery Outline, Status Review                  designation.
                                               each island, we reviewed distance from                   for this DPS, and discussions from the                   Regulations at 50 CFR 424.12(h)
                                               shore and found disparate patterns                       Main Hawaiian Islands Insular False                   provide that in determining whether an
                                               ranging from 500 m offshore to over                      Killer Whale Recovery Planning                        applicable benefit is provided by a
                                               1,200 m offshore. Looking across the                     Workshop (NMFS 2016a, Oleson et al.,                  ‘‘compliant or operational’’ plan, we
                                               islands as a whole, 45 m remained a                      2010, NMFS 2016c). Major categories of                will consider the following:
                                               depth at which frequency of satellite-tag                activities include (1) in-water                          (1) The extent of the area and features
                                               location data increased and remained                     construction (including dredging); (2)                present;
                                               more consistent.                                         energy development (including                            (2) the type and frequency of use of
                                                  Throughout this review we                             renewable energy projects); (3) activities            the area by the species;
                                               considered whether prescribing a                         that affect water quality; (4)                           (3) the relevant elements of the
                                               different depth or distance from shore                   aquaculture/mariculture; (5) fisheries;               INRMP in terms of management
                                               for each island would provide more                       (6) environmental restoration and                     objectives, activities covered, and best
                                               clarity about MHI IFKW habitat use or                    response activities (including responses              management practices, and the certainty
                                               for management of their habitat around                   to oil spills and vessel groundings, and              that the relevant elements will be
                                               each island; however, it was not clear                   marine debris clean-up activities); and               implemented; and
                                               that prescribing island-specific                         (7) some military readiness activities.                  (4) the degree to which the relevant
                                               boundaries would better match how                        All of these activities may have an effect            elements of the INRMP will protect the
                                               these animals use Hawaiian waters.                       on one or more characteristics of the                 habitat from the types of effects that
                                               Given the population’s non-uniform                       essential feature by altering the                     would be addressed through a
                                               treatment of habitat around each island,                 quantity, quality or availability of the              destruction-or-adverse-modification
                                               splitting these points by island may not                 features that support MHI IFKW critical               analysis.
                                               partition the habitat in manner that is                  habitat. This is not an exhaustive or                    NMFS can find that an INRMP
                                               ecologically meaningful.                                 complete list of potential effects; rather            provides a benefit to a species where, as
                                                  As noted above, these whales move                     it is a description of the primary                    here, the species is not directly
                                               great distances throughout the MHI,                      concerns and potential effects that we                addressed in the INRMP. In these cases,
                                               moving back and forth between areas off                  are aware of at this time and that should             we consider adaptive conservation
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                                               multiple islands. NMFS found that the                    be considered in accordance with                      management for the features essential to
                                               3,200 m depth boundary best aligns                       section 7 of the ESA when Federal                     the conservation of the species (i.e., its
                                               with the span of habitat used on the                     agencies authorize, fund, or carry out                habitat features) or the species itself
                                               leeward and windward sides of the                        these activities. The Biological Report               either directly or indirectly. We also
                                               islands, allowed for ample space for                     (NMFS 2018a) and Economic Analysis                    consider whether adaptive conservation
                                               these whales to move among areas of                      Report (Cardno 2018) provide a more                   management measures are effective and
                                               concentrated or high-use, and included                   detailed description of the potential                 reasonably certain to be implemented.


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                                               35080               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                                  The JBPHH INRMP overlaps with the                     on protected wildlife and provides                    addressing MHI IFKW conservation
                                               areas under consideration for critical                   education and outreach materials on the               within areas managed under the JBPHH
                                               habitat in two areas, the Naval                          impacts that free-roaming cats have on                INRMP. Specifically, the reviews
                                               Defensive Sea Area and the Ewa                           Hawaii’s environment; waters free of                  provide a reliable method for feedback,
                                               Training Minefield, which include                        pollutants), efforts taken to prevent and             regular assurances that the above-
                                               approximately 27 km2 (∼10 mi2) of area                   reduce the spread of biotoxins and                    described conservation measures are
                                               or approximately 0.5 percent of the                      contaminants from Navy lands                          being implemented, and a procedure for
                                               areas under consideration for critical                   (including best management practices,                 assessing and modifying measures to
                                               habitat. Based on our review of relevant                 monitoring for contamination,                         ensure conservation effectiveness.
                                               data, including supplemental satellite-                  restoration of sediments, and spill                      Although not essential to our
                                               tracking information from Cascadia                       prevention; waters free of pollutants), a             determination that the JBPHH INRMP
                                               Research Collective (3 new animals), we                  Stormwater Management Plan and a                      provides a benefit to the MHI IFKW, we
                                               consider these areas to be low-use (low-                 Stormwater Pollution Control Plan                     also take into consideration additional
                                               density) areas for MHI IFKWs, and note                   associated with their National Pollutant              future measures that the Navy plans to
                                               that they travel through these areas at                  Discharge Elimination System (waters                  include in updates to the INRMP by
                                               moderate levels (see Figure 4 of the ESA                 free of pollutants), and coastal wetland              December 2018. These expected
                                               Section 4(b)(2) Report). We therefore                    habitat restoration projects (waters free             additional measures include (1) specific
                                               consider these areas to be of low to                     of pollutants) (DON 2017a). Although                  information about MHI IFKWs, (2)
                                               moderate conservation value to MHI                       the 2011 JBPHH INRMP does not                         where MHI IFKWs may be found in
                                               IFKWs in comparison to other areas                       specifically address the MHI IFKW,                    areas managed by the installation, (3)
                                               meeting the definition of MHI IFKW                       several of the above measures support                 new projects associated with watershed
                                               critical habitat.                                        the protection of the IFKW and the                    enhancement, and (4) mandatory
                                                  In May 2017, we requested                             physical and biological feature                       mitigation measures already used by the
                                               information from the DOD to assist in                    identified for this designation.                      Pacific Fleet to minimize impacts to
                                               our analysis. Specifically, we asked for                 Specifically, the Navy’s efforts that                 MHI IFKWs as they use these areas.
                                               a list of facilities that occur within                   focused on preventing the spread of                   Procedural mitigation measures are
                                               potential critical habitat areas and                     toxoplasmosis, biotoxins, and other                   mandatory activity-specific measures
                                               available INRMPs for those facilities.                   contaminants to the marine                            taken to avoid or reduce the potential
                                               The U.S. Navy stated that areas subject                  environment provide protections for                   impacts on biological resources from
                                               to the JBPHH INRMP overlap with the                      MHI IFKW water quality and address                    stressors, including those that may
                                               areas under consideration for MHI                        threats to this feature characteristic;               cause acoustic or physical disturbance
                                               IFKW critical habitat; no other INRMPs                   these threats are identified in our Draft             to marine mammals during Navy
                                               were identified as overlapping with the                  Biological Report (NMFS 2017a).                       training and testing. These procedural
                                               potential designation. This INRMP was                    Further, efforts to support coastal                   measures are required in the Navy’s
                                               drafted prior to the ESA listing of the                  wetland habitat restoration provide                   Protective Measures Assessment
                                               MHI IFKW and did not incorporate                         protections for MHI IFKW water quality                Protocol consistent with letters of
                                               conservation measures that are specific                  and provide ancillary benefits to MHI                 authorization for training activities
                                               to MHI IFKWs. The plan was compliant                     IFKW prey, which also rely on these                   issued under the MMPA and supporting
                                               through the end of 2017; and although                                                                          ESA analyses. Procedural mitigation
                                                                                                        marine ecosystems. Additionally,
                                               its five-year review as to operation and                                                                       measures are adaptively managed as
                                                                                                        fishery restrictions in the NDSA and
                                               effect is late, the INRMP remains funded                                                                       new information becomes available
                                                                                                        Ewa Training Minefield provide
                                               and effective. The Navy continues to                                                                           about effective mitigation techniques,
                                                                                                        protections to MHI IFKW prey within
                                               implement and report on conservation                                                                           and are identified in the current Hawaii-
                                                                                                        the limited overlap areas. Some of the
                                               measures outlined in the JBPHH INRMP                                                                           Southern California Training and
                                                                                                        protections associated with the
                                               and is currently reviewing and updating                                                                        Testing Final Environmental Impact
                                                                                                        management of stormwater and
                                               the INRMP with a goal of finishing in                                                                          Statement. Examples of measures
                                                                                                        pollution address effects that would
                                               December 2018.                                                                                                 include training personnel to spot and
                                                  In the response to NMFS’ request for                  otherwise be addressed through an
                                                                                                                                                              identify marine mammals (lookouts),
                                               information about this INRMP, the Navy                   adverse modification analysis. Other                  reporting requirements for trained
                                               outlined several elements of the 2011                    protections associated with the spread                lookouts, and halt or maneuvering
                                               INRMP’s implemented and ongoing                          of toxoplasmosis to the marine                        requirements when marine mammals
                                               conservation measures that may benefit                   environment or that enhance prey,                     are spotted within identified mitigation
                                               the MHI IFKW and their habitat (with                     address effects to MHI IFKW habitat that              zones of Navy activities (DON 2017c).
                                               the characteristic of the essential                      otherwise may not be subject to a                     Although not restricted to the JBPHH
                                               element that is addressed): Fishing                      section 7 consultation. In these                      areas, these mandatory mitigation
                                               restrictions adjacent to and within areas                instances, the Navy’s INRMP provides                  measures help ensure that the Navy will
                                               that overlap the potential designation                   protections aligned with 7(a)(1) of the               avoid or reduce the impacts from
                                               (prey), creel surveys that provide                       ESA, which instructs Federal agencies                 acoustic stressors on MHI IKFWs. These
                                               information about fisheries in                           to aid in the conservation of listed                  measures will be reflected in the INRMP
                                               unrestricted areas of Pearl Harbor (prey),               species.                                              by December 2018. Additionally, the
                                               restrictions on free roaming cats and                       As part of an adaptive management                  Navy’s continued efforts towards
                                               dogs in residential areas (water free of                 approach for this INRMP, NMFS staff                   understanding the baseline conditions
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                                               pollutants), feral animal removal (water                 participates in JBPHH INRMP annual                    of Pearl Harbor (and associated
                                               free of pollutants), participation in the                reviews to provide recommendations                    watersheds) and improving water
                                               Toxoplasmosis and At-large Cat                           about plan implementation and                         quality in this area will also support the
                                               Technical Working Group (which                           effectiveness and to receive information              prey and water free of pollutants
                                               focuses on providing technical                           about upcoming plan amendments.                       characteristics of MHI IFKW habitat.
                                               information to support policy decisions                  These reviews help ensure that the plan                  After consideration of the above
                                               to address the effects of toxoplasmosis                  provides an effective mechanism for                   factors, we determined that the Navy’s


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                        35081

                                               JBPHH INRMP provides a benefit to the                    designation in that area. We then weigh               Association of Northern California et
                                               MHI IFKW and its habitat. In                             the benefits of designation against the               al., v. U.S. Fish and Wildlife Service,
                                               accordance with 4(a)(3)(B)(i) of the ESA,                benefits of exclusion. Where the benefits             616 F.3d 983 (9th Cir. 2010), cert.
                                               areas managed under this INRMP are                       of exclusion outweigh the benefits of                 denied, 562 U.S. 1217 (2011) (Home
                                               not eligible for the designation of MHI                  designation, the area is excluded from                Builders)), economic impacts that occur
                                               IFKW critical habitat. Therefore, the                    critical habitat as long as we determine              regardless of the critical habitat
                                               Ewa Training Minefield and the Naval                     that such exclusion would not result in               designation are treated as part of the
                                               Defense Sea Area, both found south of                    extinction of the DPS. These steps and                regulatory baseline and are not factored
                                               Oahu, are not eligible for designation.                  the resulting list of areas excluded from             into the analysis of the effects of the
                                                                                                        designation are described in detail in                critical habitat designation. In other
                                               Application of ESA Section 4(b)(2)
                                                                                                        the sections below.                                   words, we focus on the potential
                                                  Section 4(b)(2) of the ESA requires the                                                                     incremental impacts beyond the impacts
                                               Secretary to consider the economic,                      Impacts of Designation
                                                                                                                                                              that would result from the listing of the
                                               national security, and any other relevant                   The primary impact of a critical                   species and consultation under the
                                               impacts of designating any particular                    habitat designation stems from the                    jeopardy clause. In some instances,
                                               area as critical habitat. Any particular                 requirement under section 7(a)(2) of the              potential impacts from the critical
                                               area may be excluded from critical                       ESA that Federal agencies ensure that                 habitat designation could not be
                                               habitat if the Secretary determines that                 their actions are not likely to result in             distinguished from protections that may
                                               the benefits of excluding the area                       the destruction or adverse modification               already occur under the baseline (i.e.,
                                               outweigh the benefits of designating the                 of critical habitat. Determining this                 protections already afforded MHI IFKWs
                                               area. The Secretary may not exclude a                    impact is complicated by the fact that                under its listing or under other federal,
                                               particular area from designation if                      section 7(a)(2) contains the overlapping              state, and local regulations). For
                                               exclusion will result in the extinction of               requirement that Federal agencies must                example, the project modifications
                                               the species. Because the authority to                    also ensure their actions are not likely              needed to prevent destruction or
                                               exclude is discretionary, exclusion is                   to jeopardize the species’ continued                  adverse modification of critical habitat
                                               not required for any areas. In this                      existence. One incremental impact of                  may be similar to the project
                                               designation, the Secretary has applied                   the designation is the extent to which                modifications necessary to prevent
                                               statutory discretion to exclude 14 (1                    Federal agencies modify their actions to              jeopardy to the species in an area. The
                                               area, with two sites, for economic                       ensure their actions are not likely to                extent to which these modifications
                                               exclusion and 13 areas for national                      destroy or adversely modify the critical              differ may be project specific, and the
                                               security exclusion) occupied areas from                  habitat of the species, beyond any                    incremental changes or impacts to the
                                               critical habitat where the benefits of                   modifications they would make because                 project may be difficult to tease apart
                                               exclusion outweigh the benefits of                       of the listing and the subsequent                     without further project specificity.
                                               designation for the reasons set forth                    requirement to avoid jeopardy. When                      Once we determined the impacts of
                                               below.                                                   the same modification would be                        the designation, we then determined the
                                                  In preparation for the ESA section                    required due to impacts to both the                   benefits of designation. The benefits of
                                               4(b)(2) analysis, we identified the                      species and critical habitat, the impact              designation include the conservation
                                               ‘‘particular areas’’ to be analyzed. The                 of the designation is considered co-                  impacts for MHI IFKWs and their
                                               ‘‘particular areas’’ considered for                      extensive with the ESA listing of the                 habitat that result from the critical
                                               exclusion are defined based on the                       species (i.e., attributable to both the               habitat designation and the application
                                               impacts that were identified. We                         listing of the species and the                        of ESA section 7(a)(2). The benefits of
                                               considered economic impacts and                          designation of critical habitat).                     exclusion include avoidance of the
                                               weighed the economic benefits of                         Additional impacts of designation                     economic, national security, and other
                                               exclusion against the conservation                       include state and local protections that              relevant impacts (e.g., impacts on
                                               benefits of designation for two                          may be triggered as a result of the                   conservation plans) of the designation if
                                               particular areas where economic                          designation, and the benefits from                    a particular area were to be excluded
                                               impacts were identified as being                         educating the public about the                        from the critical habitat designation.
                                               potentially higher than the costs of                     importance of each area for species                   The following sections describe how we
                                               administrative efforts and where                         conservation. Thus, the impacts of the                determined the benefits of designation,
                                               impacts were geographically                              designation include conservation                      and how the impacts of designation
                                               concentrated. We also considered                         impacts for MHI IFKW and its habitat,                 were considered, as required under
                                               exclusions based on impacts on national                  economic impacts, impacts on national                 section 4(b)(2) of the ESA, to identify
                                               security. Delineating particular areas                   security and other relevant impacts that              particular areas that may be eligible for
                                               with respect to consideration of national                may result from the designation and the               exclusion from the designation. We also
                                               security impacts was based on land                       application of ESA section 7(a)(2).                   summarize the results of our weighing
                                               ownership or control (e.g., land                            In determining the impacts of                      process and determinations of the areas
                                               controlled by the DOD within which                       designation, we focused on the                        that may be eligible for exclusion (for
                                               national security impacts may exist) or                  incremental change in Federal agency                  additional information see the ESA
                                               on areas identified by DOD as                            actions as a result of critical habitat               Section 4(b)(2) Report (NMFS 2018b)).
                                               supporting particular military activities.               designation and the adverse
                                               For each particular area we identified                   modification provision, beyond the                    Benefits of Designation
                                               the impacts of designation (i.e., the                    changes predicted to occur as a result of                The primary benefit of designation is
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                                               economic costs of designation or                         listing and the jeopardy provision.                   the protection afforded under section
                                               impacts to national security). These                     Following a line of recent court                      7(a)(2) of the ESA, requiring all Federal
                                               impacts of designation are equivalent to                 decisions (including Arizona Cattle                   agencies to ensure their actions are not
                                               the benefits of exclusion. We also                       Growers Association v. Salazar, 606 F.                likely to destroy or adversely modify
                                               consider the benefits achieved from                      3d 1160 (9th Cir. 2010), cert. denied,                designated critical habitat. This is in
                                               designation or the conservation benefits                 562 U.S. 1216 (2011) (Arizona Cattle                  addition to the requirement that all
                                               that may result from a critical habitat                  Growers); and Home Builders                           Federal agencies ensure their actions are


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                                               35082               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               not likely to jeopardize the continued                   to quantify or monetize the benefits of               provide additional information (e.g.,
                                               existence of the species. Another benefit                the designation for MHI IFKWs                         observation data from boat surveys) that
                                               of critical habitat designation is that it               discussed above, we determined that                   supplemented our understanding of
                                               provides specific notice of the feature                  conservation benefits should be                       MHI IFKW habitat use patterns. In these
                                               essential to the conservation of the MHI                 considered from a qualitative                         instances, we describe how this
                                               IFKW DPS and where that feature                          standpoint. In determining the benefits               information may enhance our
                                               occurs. This information will focus                      of designation, we considered a number                understanding of the conservation value
                                               future consultations and other                           of factors. We took into account MHI                  of the area.
                                               conservation efforts on the key habitat                  IFKW use of the habitat, the existing                    Generally, we describe high-use areas
                                               attributes that support conservation of                  baseline protections that may protect                 as indicating areas of higher
                                               this DPS. There may also be enhanced                     that habitat regardless of designation,               conservation value where greater
                                               awareness by Federal agencies and the                    and how the essential feature may be                  foraging and/or reproductive
                                               general public of activities that might                  affected by activities that occur in these            opportunities are believed to exist.
                                               affect that essential feature.                           areas if critical habitat were not                    Additionally, high to moderate travel
                                               Accordingly, identification of that                      designated. These factors combined                    areas indicate areas of concentrated
                                               feature may improve discussions with                     provided an understanding of the                      travel. However, particularly within a
                                               action agencies regarding relevant                       importance of protecting the habitat for              restricted range, low-use and low-
                                               habitat considerations of proposed                       the overall conservation of the DPS.                  traveled areas continue to offer the
                                               projects.                                                   Generally, we relied on density                    essential feature and may provide
                                                  In addition to the protections                        analysis of satellite-tracking data as well           unique opportunities for foraging as
                                               described above, Chapter 12 of the Final                 as an analysis of travel throughout the               oceanic conditions vary seasonally or
                                               Economic Report (Cardno 2018)                            areas to provide information about MHI                temporally.
                                               discusses other forms of indirect                        IFKW habitat use (Figure 4 of the Final
                                                                                                                                                              Economic Impacts of Designation
                                               benefits that may be attributed to the                   ESA Section 4(b)(2) Report; NMFS
                                               designation including, but not limited                   2018b). The descriptions of MHI IFKW                     Economic costs of the designation
                                               to, use benefits and non-use or passive                  habitat use provided in the sections                  accrue primarily through
                                               use benefits (Cardno 2018). Use benefits                 below describe habitat in terms of high               implementation of section 7 of the ESA
                                               include positive changes that                            and low-use areas using the density                   in consultations with Federal agencies
                                               protections associated with the                          analysis described in Baird et al. (2012)             to ensure their proposed actions are not
                                               designation may provide for resource                     and describe how these areas may be                   likely to destroy or adversely modify
                                               users, such as increased fishery                         used for travel or transit. Cascadia                  critical habitat. The Economic Report
                                               resources, sustained or enhanced                         Research Collective supplied satellite-               (Cardno 2018) considered the Federal
                                               aesthetic appeal in ocean areas, or                      tracking information to support NMFS’                 activities that may be subject to a
                                               sustained wildlife-viewing                               determination of this critical habitat                section 7 consultation and the range of
                                               opportunities. Non-use or passive                        designation for the proposed and final                potential changes that may be required
                                               benefits include those independent of                    rule. For the proposed rule, density                  for each of these activities under the
                                               resource use, where conservation of                      analysis of data received included                    adverse modification provision. To the
                                               MHI IFKW habitat aligns with beliefs or                  information from 27 tagged individuals                extent possible, the analysis focused on
                                               values held by particular entities (e.g.,                (18 from Cluster 1, 1 from Cluster 2, 7               changes beyond those impacts that may
                                               existence, bequest, and cultural values)                 from Cluster 3, and 1 from Cluster 4) (R.             result from the listing of the species or
                                               (Cardno 2018). More information about                    Baird, Cascadia Research Collective,                  that are established within the
                                               these types of values may be found in                    pers. comm., June 2017). For the final                environmental baseline. However, the
                                               Chapter 12 of the Final Economic                         rule, data from a total of 30 tagged                  report acknowledges that some existing
                                               Report (Cardno 2018).                                    individuals (2 additional animals from                protections to prevent jeopardy to MHI
                                                  Most of these benefits are not directly               cluster 1 and 1 additional animal from                IFKWs are likely to overlap with those
                                               comparable to the costs of designation                   cluster 4) was used to inform the                     protections that may be put in place to
                                               for purposes of conducting the section                   analyses (R. Baird, Cascadia Research                 prevent adverse modification (Cardno
                                               4(b)(2) analysis described below.                        Collective, pers. Comm, January 2018).                2018). The project modification impacts
                                               Ideally, benefits and costs should be                       High-use areas denote areas where                  represent the benefits of excluding each
                                               compared on equal terms; however,                        satellite-tracking information indicates              particular area (that is, the impacts that
                                               there is insufficient information                        more frequent use by MHI IFKWs. High                  would be avoided if an area were
                                               regarding the extent of the benefits and                 to moderate travel areas provide further              excluded from the designation).
                                               the associated values to monetize all of                 understanding about how these whales                     The Final Economic Report (Cardno
                                               these benefits. We have not identified                   travel through specific areas. The                    2018) estimates the impacts based on
                                               any available data to monetize the                       conservation value for high-use and                   activities that are considered reasonably
                                               benefits of designation (e.g., estimates of              high-traveled areas is inferred to be                 foreseeable, which include activities
                                               the monetary value of the essential                      higher than low-use and low-traveled                  that are currently authorized, permitted,
                                               feature within areas designated as                       areas of the range; however, all areas                or funded by a Federal agency, or for
                                               critical habitat, or of the monetary value               contain the essential feature and meet                which proposed plans are currently
                                               of education and outreach benefits).                     the definition of critical habitat for this           available to the public. These activities
                                               Further, section 4(b)(2) also requires                   DPS. As noted in the Biological Report                align with those identified under the
                                               that we consider and weigh impacts                       (NMFS 2018a), there is limited                        Special Management Considerations or
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                                               other than economic impacts that may                     representation among social clusters in               Protections section (above). Projections
                                               be intangible and do not lend                            the tracking data and information.                    were calculated for the next 10-year
                                               themselves to quantification in                          Accordingly, the available satellite-                 period. The analysis relied largely upon
                                               monetary terms, such as the benefits to                  tracking information may not be fully                 NMFS’ records of section 7
                                               national security of excluding areas                     representative of MHI IFKW habitat use.               consultations to estimate the average
                                               from critical habitat. Given the lack of                 While describing MHI IFKW use for the                 number of projects that are likely to
                                               information that would allow us either                   exclusion of some particular areas, we                occur within the particular areas (i.e.,


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                          35083

                                               projections were based on past numbers                   larger MHI IFKW population. Similarly,                boundaries have not been revised as a
                                               of consultations) and determine the                      modifications to water quality standards              result of the Navy’s assessment.
                                               level of consultation (formal, informal)                 were not predicted as a result of this                   In determining the economic costs of
                                               that would be necessary based on the                     designation; however, future                          this designation, we rely on the best
                                               described activity. Where appropriate,                   modifications were not ruled out                      available information to identify where
                                               the analysis also included projections                   because future management measures                    economic costs are likely to occur. The
                                               for actions that are likely to occur                     may be necessary as more information is               two sites noticed as the BOEM Call Area
                                               within the particular areas that were                    gained about how pollutants affect MHI                remain significant in meeting Hawaii’s
                                               identified by action agencies (Cardno                    IFKW critical habitat. The Final                      renewable energy goals as these sites
                                               2018).                                                   Economic Report discusses this                        have been identified as areas where
                                                  The Final Economic Report (Cardno                     qualitatively, but does not provide                   wind resources, water depth, and
                                               2018) identifies the total estimated                     quantified costs associated with any                  proximity to shore are favorable for
                                               present value of the quantified                          uncertain future modifications (Cardno                wind-energy development (81 FR 41335;
                                               incremental impacts of this designation                  2018).                                                June 24, 2016). Given that the
                                               to be between approximately 196,000 to                     Economic impacts from the                           boundaries of these two sites have not
                                               213,000 dollars over the next 10 years;                  designation are largely attributed to the             been revised and that the sites are noted
                                               on an annualized undiscounted basis,                     administrative costs of consultations.                as significant for energy development,
                                               the impacts are equivalent to 19,600 to                  Generally, the quantified economic                    our exclusion analysis is based on the
                                               21,300 dollars per year. Applying                        impacts for this designation are                      areas of the current BOEM Call Area (as
                                               discounted rates recommended in the                      relatively low because in Hawaii most                 published in 81 FR 41335; June 24,
                                               Office of Management and Budget                          projects that would require section 7                 2016).
                                               Circular A–4, the Final Economic                         consultation occur onshore or nearshore                  The estimated economic impacts in
                                               Report estimates these incremental                       and would not overlap with the                        the BOEM Call Area are expected to
                                               impacts of designation to be between                     designation. Projects with a Federal                  occur as a result of three potential
                                               170,000 to 185,000 using a 3 percent                     nexus (i.e., authorized, funded, or                   commercial wind-energy projects
                                               discount rate and 143,000 to 156,000                     carried out by a Federal agency) that                 offshore of the island of Oahu (to be
                                               using a 7 percent discount rate (Cardno                  occur in deeper waters are already                    located off Kaena point and off the
                                               2018). These impacts include only                        subject to consultation under section 7               south shore) (81 FR 41335; June 24,
                                               incremental administrative efforts to                    to ensure that activities are not likely to           2016).
                                               consider critical habitat in section 7                   jeopardize the continued existence of                    The BOEM Call Area sites identified
                                               consultations for the section 7 activities               MHI IFKWs, and throughout the specific                for exclusion overlapped with
                                               identified under the Need for Special                    area, activities of concern are already               approximately 1,961 km2 (757 mi2), or
                                               Management Considerations or                             subject to multiple environmental laws,               approximately 3.5 percent of the areas
                                               Protections section of this rule.                        regulations, and permits that afford the              that were under consideration for
                                               However, private energy developers                       essential features a high level of                    designation. Density analysis of
                                               may also bear some of the                                baseline protection. Despite these                    satellite-tracking information indicates
                                               administrative costs of consultation for                 protections, significant uncertainty                  that these sites are not high-use areas for
                                               large energy projects; the Final                         remains regarding the true extent of the              MHI IFKWs; rather they include low-use
                                               Economic Report estimates these costs                    impacts that some activities like fishing             and mostly lower traveled area for MHI
                                               are between 0 and 300 dollars annually                   and activities affecting water quality                IFKWs, with some small overlap into a
                                               undiscounted and are expected to                         may have on the essential features, and               moderately traveled area. As noted
                                               involve three consultation projects over                 economic impacts of the designation                   above, the baseline protections are
                                               the next 10 years (Cardno 2018). Across                  may not be fully realized. Because the                strong, and energy projects are likely to
                                               the MHI, economic impacts are                            economic impacts of these activities are              undergo formal section 7 consultation to
                                               expected to be small and largely                         largely speculative, we lack sufficient               ensure that the activities are not likely
                                               associated with the administrative costs                 information with which to balance them                to jeopardize MHI IFKWs or other
                                               borne by Federal agencies, but may                       against the benefits of designation.                  protected species (Cardno 2018).
                                               include low administrative costs to non-                   BOEM provided comments on our                          Although economic costs of this
                                               Federal entities as well.                                proposed rule indicating their                        designation in the BOEM Call Area are
                                                  Both the Final Biological Report and                  appreciation for the BOEM Call Area                   considered low, NMFS also considers
                                               the Final Economic Report recognize                      exclusion. In addition, the Navy                      the potential intangible costs of
                                               that some of the future impacts of the                   submitted comments on the proposed                    designation in light of Executive Order
                                               designation are difficult to predict                     rule noting that, while they support the              13795, Implementing an America-First
                                               (NMFS 2018a, Cardno 2018). Although                      exclusion of areas suitable for renewable             Offshore Energy Strategy, which sets
                                               considered unlikely, NMFS cannot rule                    energy development, portions of the                   forth the nation’s policy for encouraging
                                               out future modifications for federally                   currently identified BOEM Call Areas                  environmentally responsible energy
                                               managed fisheries and activities that                    are not suitable for renewable energy                 exploration and production, including
                                               contribute to water quality (NMFS                        development due to national security                  on the Outer Continental Shelf, to
                                               2018a). For federally managed fisheries,                 concerns. In support of identifying areas             maintain the Nation’s position as a
                                               modifications were not predicted as a                    for renewable energy development, the                 global energy leader and to foster energy
                                               result of the critical habitat designation               Navy completed an assessment of areas                 security. In particular, both Hawaii’s
                                               based on current management of the                       (see http://greenfleet.dodlive.mil/rsc/               State Energy Office and BOEM
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                                               fisheries. However, we noted that future                 department-of-the-navy-hawaii-                        expressed concerns that the designation
                                               revised management measures could                        offshore-wind-compatibility/) around                  may discourage companies from
                                               result as more information is gained                     Oahu, noting wind farm areas that are                 investing in offshore energy projects in
                                               about MHI IFKW foraging ecology, or as                   not compatible with military activities               areas that are identified as critical
                                               we gain a better understanding of the                    and identifying only small sections of                habitat and noted that the costs of lost
                                               relative importance of certain prey                      the two sites that are compatible (DON                opportunities to meet Hawaii’s
                                               species to the health and recovery of a                  2016). However, the Call Area                         renewable energy goals could be


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                                               35084               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               significant (Cardno 2018). Because Oahu                  we also separately considered particular              training, and other essential military
                                               has the greatest energy needs among the                  areas identified by the Navy because                  readiness activities. The possible
                                               MHI and has limited areas available for                  these areas support specific military                 impacts to national security
                                               this type of development, and receiving                  activities. The Coast Guard did not                   summarized by both groups included
                                               energy via interconnection among                         provide specific explanations with                    potential restrictions or constraints on
                                               islands is technologically difficult, these              regard to particular areas. The Air Force             military operations, training, research
                                               wind projects off Oahu are considered                    provided a request for exclusion that                 and development, and preparedness
                                               necessary to meet the State of Hawaii’s                  included the waters leading to and the                vital for combat operations for around
                                               renewable energy goals of 100 percent                    offshore ranges of the PMRF (NMFS                     the world.
                                               renewable energy by 2045 (Cardno                         2017b). As the PMRF offshore ranges                      The primary benefit of exclusion is
                                               2018).                                                   were also highlighted as important to                 that the DOD’s activities would
                                                  Given the significance of this offshore               Navy activities, we included the                      continue under current regulatory
                                               area in supporting renewable energy                      information provided by the Air Force                 regimes and the DOD would not be
                                               goals for the State of Hawaii and the                    regarding their request for exclusion for             required to consult with NMFS under
                                               goals of Executive Order 13795, the low                  the PMRF ranges with the Navy’s                       section 7 of the ESA regarding its
                                               administrative costs of this designation,                information, due to the similarities                  actions that may affect critical habitat,
                                               the small size of these areas, and the                   between the activities and impacts                    and thus potential delays or costs
                                               low-use of this area by MHI IKFWs, we                    identified for these areas (e.g., both                associated with conservation measures
                                               find that the benefits of exclusion of this              requests in this area were associated                 for critical habitat would be avoided.
                                               identified area outweigh the benefits of                 with training and testing activities).                For each particular area, national
                                               designation. Although large in-water                        We considered a total of 13 sites for              security impacts were weighed
                                               construction projects are an activity of                 exclusion, and we proposed 8 of those                 considering the intensity of use of the
                                               concern for this DPS, we anticipate that                 sites for exclusion in the proposed rule.             area by DOD and how activities in that
                                               consultations required to ensure that                    Additionally, we notified the public in               area may affect the features essential to
                                               activities are not likely to jeopardize the              the proposed rule that we would be                    the conservation of MHI IFKWs. Where
                                               MHI IFKWs will achieve substantially                     considering six additional requests                   additional consultation requirements
                                               similar conservation benefits for this                   submitted by the Navy (82 FR 51186;                   are likely due to critical habitat at a site,
                                               DPS. Specifically, we anticipate that                    November 03, 2017), which were                        we considered how the consultation
                                               conservation measures implemented as                     subsets of a larger area that the Navy                may change the DOD activities, and how
                                               a result of consultation to address                      initially requested for exclusion, but                unique the DOD activities are at the site.
                                               impacts to the species will also provide                 which NMFS determined should not be                      Benefits to the conservation of MHI
                                               incidental protections to the habitat                    excluded under 4(b)(2). In addition to                IFKWs depend on whether designation
                                               feature. Additionally, wind energy                       these six areas, the Navy requested the               of critical habitat at a site leads to
                                               projects in these areas are not expected                 exclusion of two additional areas—                    additional conservation of the DPS
                                               to result in destruction or adverse                      north and south of Maui as well as the                above what is already provided by being
                                               modification of critical habitat. Based                  Hawaii Area Tracking System and the                   listed as endangered under the ESA in
                                               on our best scientific judgment, and                     Kahoolawe Training Minefield (see the                 the first place. We weighed the potential
                                               acknowledging the small size of this                     ESA Section 4(b)(2) Report, NMFS                      for additional conservation by
                                               area (approximately 0.2 percent of the                   2018b); these four areas were also                    considering several factors that provide
                                               overall designation) and that other                      subsets of the Four Island Region                     an understanding of the importance of
                                               safeguards that are in place (e.g.,                      request for exclusion that was not                    protecting the habitat for the overall
                                               protections already afforded MHI IFKWs                   proposed for exclusion at the proposed                conservation of the DPS: MHI IFKW use
                                               under its listing and other regulatory                   rule stage.                                           of the habitat (high vs. low use or travel
                                               mechanisms), we conclude that                               For the final designation, we                      by MHI IFKWs and/or observational
                                               exclusion of this area will not result in                reanalyzed the 13 areas already                       data), the existing baseline protections
                                               the extinction of the species.                           considered for exclusion using the                    that may protect that habitat regardless
                                                                                                        updated satellite tracking information                of designation, and the likelihood of
                                               National Security Impacts                                from the Cascadia Research Collective.                other Federal (non-DOD) actions being
                                                 The national security benefits of                      Additionally, we separately reviewed                  proposed within the site that would be
                                               exclusion are the national security                      each of the 10 areas requested by the                 subject to section 7 consultation
                                               impacts that would be avoided by                         Navy that were subsets of the larger                  associated with critical habitat.
                                               excluding particular areas from the                      areas requested for exclusion, consistent             Throughout the weighing process the
                                               designation. In preparation for the                      with the review criteria for the 13                   overall size of the area considered for
                                               proposed rule, we contacted                              previous areas considered for national                exclusion was considered, along with
                                               representatives of DOD and the                           security exclusion.                                   our overall understanding of importance
                                               Department of Homeland Security to                          Our determinations for these 23                    of protecting that area for conservation
                                               request information on potential                         requests are summarized in Table 1                    purposes.
                                               national security impacts that may                       below.                                                   As discussed in the Benefits of
                                               result from the designation of particular                   As in the analysis of economic                     Designation section (above), the benefits
                                               areas as critical habitat for the MHI                    impacts, we weighed the benefits of                   of designation are not directly
                                               IFKW DPS. In response to the request,                    exclusion (i.e., the impacts to national              comparable to the benefits of exclusion
                                               the Navy and U.S. Coast Guard each                       security that would be avoided) against               for purposes of conducting the section
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                                               submitted a request that all areas be                    the benefits of designation. The Navy                 4(b)(2) analysis because neither have
                                               excluded from critical habitat out of                    and Air Force provided information                    been fully quantified. The ESA Section
                                               concerns associated with activities that                 regarding the activities that take place in           4(b)(2) Report (NMFS 2018b) provides
                                               introduce noise to the marine                            each area, and they assessed the                      our qualitative comparison of the
                                               environment (NMFS 2017b). Although                       potential for a critical habitat                      national security impacts to the
                                               we considered the request for exclusion                  designation to adversely affect their                 conservation benefits in order to
                                               of all areas proposed for critical habitat,              ability to conduct operations, testing,               determine which is greater. If we found


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                                  35085

                                               that national security impacts outweigh                  exclude the site from the critical habitat                determinations made for each particular
                                               conservation benefits, we excluded the                   designation. The decision to exclude                      area identified and the factors that
                                               site from the critical habitat designation.              any sites from a designation of critical                  weighed significantly in that process.
                                               If conservation benefits outweigh                        habitat is always at the discretion of
                                               national security impacts, we did not                    NMFS. Table 1 outlines the

                                                   TABLE 1—SUMMARY OF THE ASSESSMENT OF PARTICULAR AREAS FOR EXCLUSION FOR THE DOD AND U.S. COAST
                                                                            GUARD BASED ON IMPACTS ON NATIONAL SECURITY
                                                                                             Size of particular area,
                                                                                              approximate percent                Exclusion
                                                       DOD site, agency                                                                                             Significant weighing factors
                                                                                                of the total area                warranted
                                                                                              under consideration

                                               (1) Entire Area Under Consider-          56,821 km2 (21,933 mi2), 100 ..          No ..........    This area includes the entire designation and all benefits from
                                                 ation for Designation, Navy                                                                        MHI IFKW critical habitat would be lost. Impacts from delays
                                                 and Coast Guard.                                                                                   and possible modifications to consultation are outweighed by
                                                                                                                                                    benefits of protecting the habitat.
                                               (2) PMRF Offshore Areas, Navy            843 km2 (∼325 mi2), 1.5 ...........      Yes .........    This area overlaps a relatively small area of low-use and lower
                                                 and Air Force.                                                                                     traveled areas of MHI IFKW habitat where DOD maintains
                                                                                                                                                    control of the area. This area is unique for DOD and pro-
                                                                                                                                                    vides specific opportunities for DOD training and testing. The
                                                                                                                                                    impacts from delays and possible major modifications to con-
                                                                                                                                                    sultation outweigh benefits of protecting low-use and lower
                                                                                                                                                    traveled habitat where future non-DOD Federal actions are
                                                                                                                                                    unlikely.
                                               (3) Waters Enroute to PMRF               1,077 km2 (∼416 mi2), 2 ...........      No ..........    This area overlaps a relatively small area of low-use and lower
                                                 from the Port Allen Harbor, Air                                                                    traveled MHI IFKW habitat that is not owned or controlled by
                                                 Force.                                                                                             DOD and where non-DOD activities may occur. Impacts from
                                                                                                                                                    section 7 consultations are expected to be minor. Thus, short
                                                                                                                                                    delays for minor modifications to consultation are outweighed
                                                                                                                                                    by benefits of protecting this habitat from future DOD and
                                                                                                                                                    non-DOD Federal actions. Note: a portion of this area is now
                                                                                                                                                    excluded from critical habitat because it overlaps with the
                                                                                                                                                    Kaulakahi Channel portion of Warning area 186.
                                               (4) Kingfisher Range, Navy .......       14 km2 (∼6 mi2), .02 .................   Yes .........    This area overlaps a small area of low-use and lower traveled
                                                                                                                                                    MHI IFKW habitat where DOD maintains control of the area.
                                                                                                                                                    This area is unique for DOD and provides specific opportuni-
                                                                                                                                                    ties for DOD training. Impacts from short delays from minor
                                                                                                                                                    modifications to consultation outweigh benefits of protecting
                                                                                                                                                    low-use and lower traveled habitat where future non-DOD
                                                                                                                                                    Federal actions are unlikely.
                                               (5) Warning Area 188, Navy ......        2,674 km2 (∼1,032 mi2), 5 ........       Yes .........    This area overlaps a medium area of low-use and lower trav-
                                                                                                                                                    eled MHI IFKW habitat. DOD maintains control over a portion
                                                                                                                                                    of the habitat, but does not control deeper waters. Impacts
                                                                                                                                                    from delays and possible major modifications to consultation
                                                                                                                                                    outweigh benefits of protecting low-use and lower traveled
                                                                                                                                                    habitat where future non-DOD Federal actions are less likely.
                                               (6) Kaula and Warning Area W–            266 km2 (∼103 mi2), 0.5 ...........      Yes ........     This area overlaps a small area of low-use and very low trav-
                                                 187, Navy.                                                                                         eled MHI IFKW habitat where DOD maintains control of the
                                                                                                                                                    area. This area is unique for DOD and provides specific op-
                                                                                                                                                    portunities for DOD training. Impacts from short delays by in-
                                                                                                                                                    formal consultation outweigh benefits of protecting low-use
                                                                                                                                                    and very low traveled habitat where future non-DOD Federal
                                                                                                                                                    actions are unlikely.
                                               (7) W–189, HELO Quickdraw                2,886 km2 (∼1,114 mi2), 5 ........       No ..........    This area overlaps a medium area of low-use and moderate to
                                                 Box and Oahu Danger Zone,                                                                          low traveled MHI IFKW habitat and a small high-use area for
                                                 Navy.                                                                                              MHI IFKWs. The DOD does not maintain control over these
                                                                                                                                                    waters and non-DOD activities are expected in portions of
                                                                                                                                                    this area. Impacts from delays and possible modifications to
                                                                                                                                                    consultation are outweighed by benefits of protecting both
                                                                                                                                                    high and low-use and moderate to low traveled MHI IFKW
                                                                                                                                                    habitat from future DOD and non-DOD Federal actions.
                                               (8) Fleet Operational Readiness          74 km2 (∼29 mi2), 0.1 ...............    Yes ........     This area overlaps a small area of low-use and moderate to
                                                 Accuracy Check Site Range                                                                          low traveled MHI IFKW habitat where DOD maintains control
                                                 (FORACS), Navy.                                                                                    of the area. This area is unique for DOD and provides spe-
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                                                                                                                                                    cific opportunities for DOD testing to maintain equipment ac-
                                                                                                                                                    curacy. Impacts from delays and possible modifications to
                                                                                                                                                    consultation outweigh benefits of protecting low-use and
                                                                                                                                                    moderate to low traveled habitat where future non-DOD Fed-
                                                                                                                                                    eral actions are unlikely.




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                                               35086               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                                   TABLE 1—SUMMARY OF THE ASSESSMENT OF PARTICULAR AREAS FOR EXCLUSION FOR THE DOD AND U.S. COAST
                                                                       GUARD BASED ON IMPACTS ON NATIONAL SECURITY—Continued
                                                                                             Size of particular area,
                                                                                              approximate percent               Exclusion
                                                       DOD site, agency                                                                                            Significant weighing factors
                                                                                                of the total area               warranted
                                                                                              under consideration

                                               (9) Shipboard Electronic Sys-            74 km2 (∼29 mi2), 0.1 ...............   Yes .........    This area overlaps a small area of low-use and lower traveled
                                                 tems Evaluation Facility                                                                          MHI IFKW habitat where DOD maintains control of the area.
                                                 Range (SESEF), Navy.                                                                              This area is unique for DOD and provides specific opportuni-
                                                                                                                                                   ties for DOD testing to maintain equipment accuracy. Im-
                                                                                                                                                   pacts from delays and possible modifications to consultation
                                                                                                                                                   outweigh benefits of protecting low-use and lower traveled
                                                                                                                                                   habitat where future non-DOD Federal actions are unlikely.
                                               (10) W–196 and 191, Navy .......         728 km2 (∼281 mi2), 1 ..............    Yes .........    This area overlaps a relatively small area of low-use and lower
                                                                                                                                                   traveled MHI IFKW habitat that is not controlled by DOD but
                                                                                                                                                   where non-DOD Federal actions are unlikely. Impacts from
                                                                                                                                                   short delays and possible modifications to consultation out-
                                                                                                                                                   weigh benefits of protecting low-use and lower traveled habi-
                                                                                                                                                   tat where future non-DOD Federal actions are unlikely.
                                               (11) W 193 and 194, Navy ........        458 km2 (∼177 mi2), 1 ..............    Yes .........    This area overlaps a relatively small area of low-use and lower
                                                                                                                                                   traveled MHI IFKW habitat that is not controlled by DOD but
                                                                                                                                                   where non-DOD Federal actions are unlikely. Impacts from
                                                                                                                                                   short delays and possible modifications to consultation out-
                                                                                                                                                   weigh benefits of protecting low-use and lower traveled habi-
                                                                                                                                                   tat where future non-DOD Federal actions are unlikely.
                                               (12) Four Islands Region (Maui,          15,389 km2 (∼5,940 mi2), 27 ....        No ..........    This area includes a relatively large area of both high and low-
                                                 Lanai, Molokai Kahoolawe),                                                                        use and high and lower traveled MHI IKFW habitat that is not
                                                 Navy.                                                                                             controlled by DOD. Impacts from delays and possible major
                                                                                                                                                   modifications to consultation are outweighed by benefits of
                                                                                                                                                   protecting the entire area, which includes both high and low-
                                                                                                                                                   use and high and lower traveled MHI IFKW habitat, from fu-
                                                                                                                                                   ture DOD and non-DOD Federal actions.
                                               (13) Hawaii Island, Navy ...........     16,931 km2 (∼6,535 mi2); 30 ....        No ..........    This area includes a relatively large area of both high and low-
                                                                                                                                                   use and high and lower traveled MHI IKFW habitat that is not
                                                                                                                                                   controlled by DOD. Impacts from delays and possible major
                                                                                                                                                   modifications to consultation are outweighed by benefits of
                                                                                                                                                   protecting the entire area, which includes both high and low-
                                                                                                                                                   use and high and lower traveled MHI IFKW habitat, from fu-
                                                                                                                                                   ture DOD and non-DOD Federal actions.
                                               (14) Kaulakahi Channel Portion           1,631 km2 (∼630 mi2), 3 ...........     Yes ........     This area overlaps a small to medium area of low-use and
                                                 of W–186, Navy.                                                                                   lower traveled MHI IFKW habitat that is not controlled by
                                                                                                                                                   DOD. This area is unique for DOD and provides specific op-
                                                                                                                                                   portunities for DOD training and testing. The impacts from
                                                                                                                                                   delays and possible major modifications to consultation out-
                                                                                                                                                   weigh benefits of protecting low-use and lower traveled habi-
                                                                                                                                                   tat where future non-DOD Federal actions are unlikely.
                                               (15) Area North and East of              2,472 km2 (∼954 mi2), 4 ...........     No ..........    This area overlaps a medium area of both high-use and low-
                                                 Oahu, Navy.                                                                                       use and high to low traveled MHI IFKW habitat. The DOD
                                                                                                                                                   does not maintain control over these waters and non-DOD
                                                                                                                                                   activities are expected in portions of this area. Impacts from
                                                                                                                                                   delays and possible modifications to consultation are out-
                                                                                                                                                   weighed by benefits of protecting both high and low-use and
                                                                                                                                                   high and low traveled MHI IFKW habitat, from future DOD
                                                                                                                                                   and non-DOD Federal actions.
                                               (16) Area to the South of Oahu,          1,803 km2 (∼696 mi2), 3 ...........     No ..........    This area overlaps a medium area of low-use and moderate to
                                                 Navy.                                                                                             low traveled MHI IFKW habitat. The DOD does not maintain
                                                                                                                                                   control over these waters and non-DOD activities are ex-
                                                                                                                                                   pected in portions of this area. Impacts from delays and pos-
                                                                                                                                                   sible modifications to consultation are outweighed by benefits
                                                                                                                                                   of protecting both low-use and moderate to low traveled MHI
                                                                                                                                                   IFKW habitat, from future DOD and non-DOD Federal ac-
                                                                                                                                                   tions.
                                               (17) Kaiwi Channel, Navy ..........      2,355 km2 (∼909 mi2), 4 ...........     No ..........    This area includes a medium area with mostly high-use and
                                                                                                                                                   high to low traveled MHI IKFW habitat that is not controlled
                                                                                                                                                   by DOD. Impacts from delays and possible major modifica-
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                                                                                                                                                   tions to consultation are outweighed by benefits of protecting
                                                                                                                                                   the entire area, which includes both high and low-use and
                                                                                                                                                   high to low traveled MHI IFKW habitat, from future DOD and
                                                                                                                                                   non-DOD Federal actions.




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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                                 35087

                                                   TABLE 1—SUMMARY OF THE ASSESSMENT OF PARTICULAR AREAS FOR EXCLUSION FOR THE DOD AND U.S. COAST
                                                                       GUARD BASED ON IMPACTS ON NATIONAL SECURITY—Continued
                                                                                             Size of particular area,
                                                                                              approximate percent               Exclusion
                                                       DOD site, agency                                                                                            Significant weighing factors
                                                                                                of the total area               warranted
                                                                                              under consideration

                                               (18) Area North and Offshore of          596 km2 (∼230 mi2), 1 ..............    Yes .........    This area overlaps a relatively small area of potential critical
                                                 Molokai; Navy.                                                                                    habitat and includes mostly low-use and low-travel area for
                                                                                                                                                   MHI IKFWs. This area also includes very small portions of
                                                                                                                                                   high-use and moderate to low travelled MHI IFKW habitat on
                                                                                                                                                   the southern boundary of the area. The DOD does not main-
                                                                                                                                                   tain control over these waters and non-DOD activities may
                                                                                                                                                   occur in these areas. The impacts from delays and possible
                                                                                                                                                   major modifications to consultation outweigh benefits of pro-
                                                                                                                                                   tecting mostly low-use and lower traveled habitat at the edge
                                                                                                                                                   of the designation.
                                               (19) Alenuihaha Channel, Navy            2,609 km2 (∼1,007 mi2), 5 ........      Yes ........     This area overlaps a small to medium sized area of potential
                                                                                                                                                   critical habitat and includes mostly low-use and low-travel
                                                                                                                                                   area for MHI IKFWs. The DOD does not maintain control
                                                                                                                                                   over these waters and non-DOD activities may occur in
                                                                                                                                                   these areas. The impacts from delays and possible major
                                                                                                                                                   modifications to consultation outweigh benefits of protecting
                                                                                                                                                   mostly low-use and lower traveled habitat.
                                               (20) Area north of Maui, Navy ...        2,590 km2 (∼1,000 mi2), 5 ........      No ..........    This area overlaps a medium area with high-use and high to
                                                                                                                                                   low traveled MHI IFKW habitats. The DOD does not maintain
                                                                                                                                                   control over these waters and non-DOD activities may occur
                                                                                                                                                   in these areas. Impacts from delays and possible modifica-
                                                                                                                                                   tions to consultation are outweighed by benefits of protecting
                                                                                                                                                   portions of high-use and high to low traveled MHI IFKW habi-
                                                                                                                                                   tat, from future DOD and non-DOD Federal actions.
                                               (21) Area south of Maui, Navy ..         1,899 km2 (∼733 mi2), 3 ...........     No ..........    This area overlaps a small to medium area of low-use and
                                                                                                                                                   lower traveled MHI IFKW habitat and is located between
                                                                                                                                                   three high-use areas of the designation allowing for contig-
                                                                                                                                                   uous travel between those areas. The area is not controlled
                                                                                                                                                   by DOD. This area is unique for DOD and provides specific
                                                                                                                                                   opportunities for DOD training and testing. Impacts from
                                                                                                                                                   delays and possible modifications to consultation are out-
                                                                                                                                                   weighed by benefits of protecting contiguous habitat between
                                                                                                                                                   MHI IFKW high-use areas, from future DOD and non-DOD
                                                                                                                                                   Federal actions.
                                               (22) Hawaii Area Tracking Sys-           96 km2 (∼37 mi2), 0.2 ...............   Yes ........     This area overlaps a small area of low-use and lower traveled
                                                 tem.                                                                                              MHI IFKW habitat where DOD maintains control of the area.
                                                                                                                                                   This area is unique for DOD and provides specific opportuni-
                                                                                                                                                   ties for DOD training. The impacts from delays and possible
                                                                                                                                                   major modifications to consultation outweigh benefits of pro-
                                                                                                                                                   tecting mostly low-use and lower traveled habitat.
                                               (23) Kahoolawe Training Mine-            12 km2 (∼5 mi2) 0.02 ................   Yes .........    This area overlaps a small area of low-use and lower traveled
                                                 field.                                                                                            MHI IFKW habitat where DOD maintains control of the area.
                                                                                                                                                   This area is unique for DOD and provides specific opportuni-
                                                                                                                                                   ties for DOD training. The impacts from delays and possible
                                                                                                                                                   major modifications to consultation outweigh benefits of pro-
                                                                                                                                                   tecting mostly low-use and lower traveled habitat.



                                               Other Relevant Impacts of the                            habitat designation. Accordingly, we do                  are essential to conservation of the MHI
                                               Designation                                              not exercise our discretionary authority                 IFKW DPS and are not proposing any
                                                 Finally, under ESA section 4(b)(2) we                  to exclude any areas based on other                      such areas for designation as critical
                                               consider any other relevant impacts of                   relevant impacts.                                        habitat. This rule proposes to exclude
                                               critical habitat designation to inform our               Critical Habitat Designation                             from the designation the following areas
                                               decision as to whether to exclude any                                                                             (one area, two sites, for the Bureau of
                                               areas. For example, we may consider                         This rule designates approximately                    Ocean Energy Management (BOEM) and
                                               potential adverse effects on existing                    45,504 km2 (17,564 mi2) of marine                        13 exclusions requested by the Navy):
                                               management plans or conservation                         habitat surrounding the main Hawaiian                    (1) The BOEM Call Area offshore of the
                                               plans that benefit listed species, and we                Islands within the geographical area                     Island of Oahu (which includes two
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                                               may consider potential adverse effects                   presently occupied by the MHI IFKW.                      sites, one off Kaena point and one off
                                               on tribal lands or trust resources. In                   This critical habitat area contains                      the south shore), (2) the Navy Pacific
                                               preparing this designation, we have not                  physical or biological features essential                Missile Range Facility’s Offshore ranges
                                               identified any such management or                        to the conservation of the DPS that may                  (including the Shallow Water Training
                                               conservation plans, tribal lands or                      require special management                               Range (SWTR), the Barking Sands
                                               resources, or anything else that would                   considerations or protection. We have                    Tactical Underwater Range (BARSTUR),
                                               be adversely affected by the critical                    not identified any unoccupied areas that                 and the Barking Sands Underwater


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                                               35088               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               Range Extension (BSURE; west of                          economically and technologically                      this critical habitat designation if a
                                               Kauai), (3) the Navy Kingfisher Range                    feasible, and that would avoid the                    Federal permit is required, Federal
                                               (northeast of Niihau), (4) Warning Area                  destruction or adverse modification of                funding is received, or the entity is
                                               188 (west of Kauai), (5) Kaula Island and                critical habitat.                                     indirectly affected by delays or changes
                                               Warning Area 187 (surrounding Kaula                        Regulations at 50 CFR 402.16 require                in a Federal project. These activities
                                               Island), (6) the Navy Fleet Operational                  Federal agencies that have retained                   would need to be evaluated with respect
                                               Readiness Accuracy Check Site                            discretionary involvement or control                  to their potential to destroy or adversely
                                               (FORACS) (west of Oahu), (7) the Navy                    over an action, or where such                         modify critical habitat. Changes to the
                                               Shipboard Electronic Systems                             discretionary involvement or control is               actions to minimize or avoid destruction
                                               Evaluation Facility (SESEF) (west of                     authorized by law, to reinitiate                      or adverse modification of designated
                                               Oahu), (8) Warning Areas 196 and 191                     consultation on previously reviewed                   critical habitat may result in changes to
                                               (south of Oahu), (9) Warning Areas 193                   actions in instances in which (1) critical            some activities. Please see the Economic
                                               and 194 (south of Oahu), (10) the                        habitat is subsequently designated; or                Analysis Report (Cardno 2018) for more
                                               Kaulakahi Channel portion of Warning                     (2) new information or changes to the                 details and examples of changes that
                                               area 186 (the channel between Niihau                     action may result in effects to critical              may need to occur in order for activities
                                               and Kauai and extending east), (11) the                  habitat not previously considered in the              to minimize or avoid destruction or
                                               area north of Molokai, (12) the                          biological opinion. Consequently, some                adverse modification of designated
                                               Alenuihaha Channel, (13) Hawaii Area                     Federal agencies may request re-                      critical habitat. Questions regarding
                                               Tracking System, and (14) the                            initiation of consultation or conference              whether specific activities would
                                               Kahoolawe Training Minefield. Based                      with NMFS on actions for which formal                 constitute destruction or adverse
                                               on our best scientific knowledge and                     consultation has been completed, if                   modification of critical habitat should
                                               expertise, we conclude that the                          those actions may affect designated                   be directed to NMFS (see ADDRESSES
                                               exclusion of these areas will not result                 critical habitat. Activities subject to the           and FOR FURTHER INFORMATION CONTACT).
                                               in the extinction of the DPS, and will                   ESA section 7 consultation process
                                               not impede the conservation of the DPS.                  include activities on Federal lands, as               References Cited
                                               In addition, the Ewa Training Minefield                  well as activities requiring a permit or                 A complete list of all references cited
                                               and the Naval Defensive Sea Area are                     other authorization from a Federal                    in this rule can be found on our website
                                               precluded from designation under                         agency (e.g., a section 10(a)(1)(B) permit            at: http://www.fpir.noaa.gov/PRD/prd_
                                               section 4(a)(3) of the ESA because they                  from NMFS), or some other Federal                     mhi_false_killer_whale.html#fwk_esa_
                                               are managed under the JBPHH INRMP                        action, including funding (e.g., Federal              listing or at www.regulations.gov, and is
                                               that we find provides a benefit to the                   Highway Administration or Federal                     available upon request from the NMFS
                                               Main Hawaiian Islands insular false                      Emergency Management Agency                           office in Honolulu, Hawaii (see
                                               killer whale.                                            funding). ESA section 7 consultation                  ADDRESSES).
                                                                                                        would not be required for Federal
                                               Effects of Critical Habitat Designations                 actions that do not affect listed species             Classification
                                                  Section 7(a)(2) of the ESA requires                   or critical habitat, and would not be                 Takings
                                               Federal agencies, including NMFS, to                     required for actions on non-Federal and
                                               ensure that any action authorized,                       private lands that are not carried out,                 Under E.O. 12630, Federal agencies
                                               funded, or carried out by the agency                     funded, or authorized by a Federal                    must consider the effects of their actions
                                               (agency action) is not likely to                         agency.                                               on constitutionally protected private
                                               jeopardize the continued existence of                                                                          property rights and avoid unnecessary
                                               any threatened or endangered species or                  Activities That May Be Affected                       takings of property. A taking of property
                                               destroy or adversely modify designated                      ESA section 4(b)(8) requires, to the               includes actions that result in physical
                                               critical habitat. When a species is listed               maximum extent practicable, in any                    invasion or occupancy of private
                                               or critical habitat is designated, Federal               regulation to designate critical habitat,             property that substantially affect its
                                               agencies must consult with NMFS on                       an evaluation and brief description of                value or use. In accordance with E.O.
                                               any agency action to be conducted in an                  those activities (whether public or                   12630, this rule does not have
                                               area where the species is present and                    private) that may adversely modify such               significant takings implications. The
                                               that may affect the species or its critical              habitat or that may be affected by such               designation of critical habitat for the
                                               habitat. During the consultation, NMFS                   designation. A wide variety of activities             MHI IFKW DPS is fully described
                                               evaluates the agency action to determine                 may affect MHI IFKW critical habitat                  within the offshore marine environment
                                               whether the action may adversely affect                  and may be subject to the ESA section                 and is not expected to affect the use or
                                               listed species or critical habitat and                   7 consultation processes when carried                 value of private property interests.
                                               issues its finding in a biological                       out, funded, or authorized by a Federal               Therefore, a takings implication
                                               opinion. If NMFS concludes in the                        agency. The activities most likely to be              assessment is not required.
                                               biological opinion that the agency                       affected by this critical habitat
                                                                                                        designation once finalized are the                    Executive Orders 12866 and 13771
                                               action would likely result in the
                                               destruction or adverse modification of                   following: (1) In-water construction                    OMB has determined that this rule is
                                               critical habitat, NMFS would also                        (including dredging); (2) energy                      significant for purposes of Executive
                                               recommend any reasonable and prudent                     development (including renewable                      Order 12866 review. Economic and
                                               alternatives to the action. Reasonable                   energy projects); (3) activities that affect          Regulatory Impact Review Analyses and
                                               and prudent alternatives are defined in                  water quality; (4) aquaculture/                       4(b)(2) analyses as set forth and
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                                               50 CFR 402.02 as alternative actions                     mariculture; (5) fisheries; (6)                       referenced herein have been prepared to
                                               identified during formal consultation                    environmental restoration and response                support the exclusion process under
                                               that can be implemented in a manner                      activities (including responses to oil                section 4(b)(2) of the ESA. To review
                                               consistent with the intended purpose of                  spills and vessel groundings, and                     these documents see ADDRESSES section
                                               the action, that are consistent with the                 marine debris clean-up activities); and               above.
                                               scope of the Federal agency’s legal                      (7) some military readiness activities.                 We have estimated the costs for this
                                               authority and jurisdiction, that are                     Private entities may also be affected by              rule. Economic impacts associated with


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                           35089

                                               this rule stem from the ESA’s                            federalism impacts of regulations under               However, foreseeable impacts are
                                               requirement that Federal agencies                        development. It includes specific                     limited to two areas off Oahu where
                                               ensure any action authorized, funded, or                 consultation directives for situations in             prospective wind energy projects are
                                               carried out will not likely jeopardize the               which a regulation may preempt state                  under consideration (see Economic
                                               continued existence of any endangered                    law or impose substantial direct                      Impacts of Designation section). Impacts
                                               or threatened species or result in the                   compliance costs on state and local                   to the electricity industry would likely
                                               destruction or adverse modification of                   governments (unless required by                       be limited to potential delays in project
                                               critical habitat. In practice, this requires             statute). Pursuant to E.O. 13132, we                  development, costs to monitor noise,
                                               Federal agencies to consult with NMFS                    determined that this rule does not have               and possibly additional administrative
                                               whenever they propose an action that                     significant federalism effects and that a             costs of consultation. The potential
                                               may affect a listed species or its                       federalism assessment is not required.                critical habitat area is not expected to
                                               designated critical habitat, and then to                 We requested information from and                     affect the current electricity production
                                               modify any action that could jeopardize                  coordinated development of this final                 levels in Hawaii. Further, it appears that
                                               the species or adversely affect critical                 critical habitat designation with                     the designation will have little or no
                                               habitat. Thus, there are two main                        appropriate Hawaii State resources                    effect on electrical energy production
                                               categories of costs: Administrative costs                agencies. The designation may have                    decisions (other than the location of the
                                               associated with completing                               some benefit to state and local resource              future project), subsequent electricity
                                               consultations, and project modification                  agencies in that the rule more clearly                supply, or the cost of future energy
                                               costs. Costs associated with the ESA’s                   defines the physical and biological                   production. The designation is unlikely
                                               requirement to avoid jeopardizing the                    features essential to the conservation of             to impact the industry by greater than
                                               continued existence of a listed species                  the species and the areas on which                    the 1 billion kWh per year or 500 MW
                                               are not attributable to this rule, as that               those features are found. While this                  of capacity provided as guidance in the
                                               requirement exists in the absence of the                 designation would not alter where and                 executive order. It is therefore unlikely
                                               critical habitat designation.                            what non-Federally sponsored activities               for the electricity production industry to
                                                 The Economic Report (Cardno 2018)                      may occur, it may assist local                        experience a significant adverse effect
                                               identifies the total estimated present                   governments in long-range planning.                   due to the MHI IFKW critical habitat
                                               value of the quantified impacts above                       Where state and local governments                  designation.
                                               current consultation effort to be between                require approval or authorization from a
                                               approximately 192,000 to 208,000                         Federal agency for actions that may                   Regulatory Flexibility Act
                                               dollars over the next 10 years; on an                    affect critical habitat, consultation                    Under the Regulatory Flexibility Act
                                               annualized undiscounted basis, the                       under section 7(a)(2) would be required.              (RFA) (5 U.S.C. 601 et seq.) as amended
                                               impacts are equivalent to 19,200 to                      While non-Federal entities that receive               by the Small Business Regulatory
                                               20,800 dollars per year. Applying                        Federal funding, assistance, or permits,              Enforcement Fairness Act (SBREFA) of
                                               discounted rates recommended in the                      or that otherwise require approval or                 1996, whenever an agency publishes a
                                               Office of Management and Budget                          authorization from a Federal agency for               notice of rulemaking for any proposed
                                               Circular A–4, the Final Economic                         an action, may be indirectly impacted                 or final rule, it must prepare and make
                                               Report estimates these incremental                       by the designation of critical habitat, the           available for public comment a RFA
                                               impacts of designation to be between                     legally binding duty to avoid                         describing the effects of the rule on
                                               170,000 to 185,000 using a 3 percent                     destruction or adverse modification of                small entities, i.e., small businesses,
                                               discount rate and 143,000 to 156,000                     critical habitat rests only on the Federal            small organizations, and small
                                               using a 7 percent discount rate (Cardno                  agency.                                               government jurisdictions. A final
                                               2018). These total impacts include the                                                                         regulatory flexibility analysis (FRFA)
                                                                                                        Energy Supply, Distribution, and Use                  has been prepared, which is included as
                                               additional administrative efforts
                                                                                                        (Executive Order 13211)                               Chapter 13 to the Economic Report
                                               necessary to consider critical habitat in
                                               section 7 consultations. Across the MHI,                    Executive Order 13211 requires                     (Cardno 2018). This document is
                                               economic impacts are expected to be                      agencies to prepare a Statement of                    available upon request (see ADDRESSES),
                                               small and largely associated with the                    Energy Effects when undertaking a                     via our website at http://
                                               administrative costs borne by Federal                    ‘‘significant energy action.’’ According              www.fpir.noaa.gov/PRD/prd_mhi_false_
                                               agencies. However, private energy                        to Executive Order 13211, ‘‘significant               killer_whale.html#fwk_esa_listing or via
                                               developers may also bear the                             energy action’’ means any action by an                the Federal eRulemaking website at
                                               administrative costs of consultation for                 agency that is expected to lead to the                www.regulations.gov.
                                               large energy projects. The Final                         promulgation of a final rule or                          A statement of need for and objectives
                                               Economic Report estimates these costs                    regulation that is a significant regulatory           of this rule is provided earlier in the
                                               to be between 0 and 3,000 dollars over                   action under Executive Order 12866 and                preamble and is not repeated here. This
                                               the next 10 years. While there are                       is likely to have a significant adverse               rule will not impose any recordkeeping
                                               expected beneficial economic impacts of                  effect on the supply, distribution, or use            or reporting requirements. NMFS
                                               designating critical habitat, there are                  of energy. We have considered the                     received comments on the proposed
                                               insufficient data available to monetize                  potential impacts of this action on the               rule and supplementary reports during
                                               those impacts (see Benefits of                           supply, distribution, or use of energy                the 60-day comment period; no
                                               Designation section).                                    (see section 13.2 of the Economic                     comments were received on the initial
                                                 This rule is not expected to be subject                Report; Cardno 2018). It is unlikely for              regulatory flexibility analysis for this
                                               to the requirements of E.O. 13771                        the oil and gas industry to experience a              action.
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                                               because this rule is expected to result in               ‘‘significant adverse effect’’ due to this               We identified the impacts to small
                                               no more than de minimis costs.                           designation, as Hawaii does not produce               businesses by considering the seven
                                                                                                        petroleum or natural gas, and refineries              activities most likely impacted by the
                                               Executive Order 13132, Federalism                        are not expected to be affected by this               designation: (1) In-water construction
                                                 The Executive Order on Federalism,                     designation. Offshore energy projects                 (including dredging); (2) energy
                                               Executive Order 13132, requires                          may affect the essential features of                  development (including renewable
                                               agencies to take into account any                        critical habitat for the MHI IFKW DPS.                energy projects); (3) activities that affect


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                                               35090               Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               water quality; (4) aquaculture/                          specific area based on economic and                   Coastal Zone Management Act
                                               mariculture; (5) fisheries; (6)                          national security impacts. This selected                 Under section 307(c)(1)(A) of the
                                               environmental restoration and response                   alternative may help to reduce the                    Coastal Zone Management Act (CZMA)
                                               activities (including responses to oil                   indirect impact to small businesses that              (16 U.S.C. 1456(c)(1)(A)) and its
                                               spills and vessel groundings, and                        are economically involved with military               implementing regulations, each Federal
                                               marine debris clean-up activities); and                  activities or other activities that undergo           activity within or outside the coastal
                                               (7) some military activities. As                         section 7 consultation in these areas.
                                                                                                                                                              zone that has reasonably foreseeable
                                               discussed in the Economic Impacts of                     However, as the costs resulting from
                                                                                                                                                              effects on any land or water use or
                                               Designation section of this proposed                     critical habitat designation are primarily
                                                                                                                                                              natural resource of the coastal zone
                                               rule and the Economic Report, the only                   administrative and are borne mostly by
                                                                                                                                                              shall be carried out in a manner which
                                               entities identified as bearing economic                  the Federal agencies involved in
                                                                                                                                                              is consistent to the maximum extent
                                               impacts (above administrative costs) by                  consultation, there is insufficient
                                                                                                                                                              practicable with the enforceable policies
                                               the potential critical habitat designation               information to monetize the costs and
                                                                                                                                                              of approved state coastal management
                                               are two developers of offshore wind                      benefits of these exclusions at this time.
                                                                                                                                                              programs. We have determined that the
                                               energy projects; however, these entities                 We did not consider other economic or
                                                                                                                                                              designation of critical habitat for the
                                               exceed the criterion established by SBA                  relevant exclusions from critical habitat
                                                                                                        designation because our analyses                      MHI IFKW DPS is consistent to the
                                               for small businesses (Cardno 2018).                                                                            maximum extent practicable with the
                                               Although considered unlikely (NMFS                       identified only low-cost administrative
                                                                                                        impacts to Federal entities in other areas            enforceable policies of the approved
                                               2018a), there remains a small,                                                                                 Coastal Zone Management (CZM)
                                               unquantifiable possibility that federally-               not proposed for exclusion.
                                                                                                           In summary, the primary benefit of                 Program of Hawaii. This determination
                                               managed longline boats (i.e., deep-set or                                                                      was submitted to the Hawaii CZM
                                               shallow-set fisheries) could be subject to               this designation is to ensure that Federal
                                                                                                        agencies consult with NMFS whenever                   Program for review. While the Hawaii
                                               additional conservation and                                                                                    CZM Program noted comments from
                                               management measures. At this time,                       they carry out, fund, or authorize any
                                                                                                        action that may adversely affect MHI                  Hawaii’s Department of Land and
                                               however, NMFS has no information to                                                                            Natural Resources DAR expressing
                                               suggest that additional measures are                     IFKW critical habitat. Costs associated
                                                                                                        with critical habitat are primarily                   concerns about the expansiveness of the
                                               reasonably necessary to protect prey                                                                           proposed designation, the Hawaii CZM
                                               species. Chapter 13 of the Economic                      administrative costs borne by the
                                                                                                        Federal agency taking the action. Our                 Program concurred with our consistency
                                               Report provides a description and                                                                              determination in a letter they issued to
                                               estimate of the number of these entities                 analysis did not identify any economic
                                                                                                        impacts to small businesses based on                  NMFS on December 15, 2017. These
                                               that fit the criterion that could be                                                                           concerns about the expansiveness of the
                                               impacted by the designation if future                    this designation and current information
                                                                                                        does not suggest that small businesses                designation were submitted by DAR and
                                               management measures were identified                                                                            are addressed under our responses to
                                               (Cardno 2018). Due to the inherent                       will be disproportionately affected by
                                                                                                        this designation (Cardno 2018).                       Comments 8 and 10 above.
                                               uncertainty involved in predicting
                                               possible economic impacts that could                     Although the analysis shows that we                   Paperwork Reduction Act
                                               result from future consultations, we                     could have certified that there would
                                                                                                        not be significant economic impact on a                  The purpose of the Paperwork
                                               acknowledge that other unidentified                                                                            Reduction Act is to minimize the
                                                                                                        substantial number of small entities, we
                                               impacts may occur.                                                                                             paperwork burden for individuals, small
                                                                                                        are instead presenting this FRFA.
                                                  In accordance with the requirements                      During a formal section 7 consultation             businesses, educational and nonprofit
                                               of the RFA, this analysis considered                     under the ESA, NMFS, the action                       institutions, and other persons resulting
                                               alternatives to the critical habitat                     agency, and the third party applying for              from the collection of information by or
                                               designation for the MHI IFKW that                        Federal funding or permitting (if                     for the Federal government. This final
                                               would achieve the goals of designating                   applicable) communicate in an effort to               rule does not contain any new or
                                               critical habitat without unduly                          minimize potential adverse effects to the             revised collection of information. This
                                               burdening small entities. The alternative                species and to the proposed critical                  rule, does not impose recordkeeping or
                                               of not designating critical habitat for the              habitat. Communication among these                    reporting requirements on state or local
                                               MHI IFKW was considered and rejected                     parties may occur via written letters,                governments, individuals, businesses, or
                                               because such an approach does not meet                   phone calls, in-person meetings, or any               organizations.
                                               our statutory requirements under the                     combination of these. The duration and
                                               ESA. We also considered and rejected                                                                           Unfunded Mandates Reform Act (2
                                                                                                        complexity of these communications                    U.S.C. 1501 et seq.)
                                               the alternative of designating as critical               depend on a number of variables,
                                               habitat all areas that contain at least one              including the type of consultation, the                  In accordance with the Unfunded
                                               identified essential feature (i.e., no areas             species, the activity of concern, and the             Mandates Reform Act, we make the
                                               excluded), because the alternative does                  potential effects to the species and                  following findings:
                                               not allow the agency to take into                        designated critical habitat associated                   (A) This proposed rule will not
                                               account circumstances in which the                       with the activity that has been                       produce a Federal mandate. In general,
                                               benefits of exclusion for economic,                      proposed. The third-party costs                       a Federal mandate is a provision in
                                               national security, and other relevant                    associated with these consultations                   legislation, statute, or regulation that
                                               impacts outweigh the benefits of critical                include the administrative costs, such as             would impose an enforceable duty upon
                                               habitat designation. Finally, through the                the costs of time spent in meetings,                  state, local, tribal governments, or the
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                                               ESA 4(b)(2) consideration process, we                    preparing letters, and the development                private sector and includes both
                                               identified and selected an alternative                   of research, including biological studies             ‘‘Federal intergovernmental mandates’’
                                               that may lessen the impacts of the                       and engineering reports. There are no                 and ‘‘Federal private sector mandates.’’
                                               overall designation for certain entities,                small businesses directly regulated by                The designation of critical habitat does
                                               including small entities. Under this                     this action and there are no additional               not impose an enforceable duty on non-
                                               alternative, we considered excluding                     costs to small businesses as a result of              Federal government entities or private
                                               particular areas within the designated                   section 7 consultations to consider.                  parties. The only regulatory effect of a


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                                                                   Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations                                                                 35091

                                               critical habitat designation is that                          or community that is acknowledged as                            Information Quality Act (IQA)
                                               Federal agencies must ensure that                             an Indian tribe under the federally                               Pursuant to the Information Quality
                                               actions that they fund, authorize, or                         Recognized Indian Tribe List Act of                             Act (section 515 of Pub. L. 106–554),
                                               undertake are not likely to destroy or                        1994 (25 U.S.C. 479a).                                          this information product has undergone
                                               adversely modify critical habitat under                          In the list published annually by the                        a pre-dissemination review by NMFS.
                                               ESA section 7. Non-Federal entities that                                                                                      The signed Pre-dissemination Review
                                                                                                             Secretary, there are no federally
                                               receive funding, assistance, or permits                                                                                       and Documentation Form is on file with
                                                                                                             recognized tribes in the State of Hawaii
                                               from Federal agencies, or otherwise                                                                                           the NMFS Pacific Islands Regional
                                                                                                             (74 FR 40218; August 11, 2009).
                                               require approval or authorization from a                                                                                      Office (see FOR FURTHER INFORMATION
                                               Federal agency for an action, may be                          Although Native Hawaiian lands are not
                                                                                                             tribal lands for purposes of the                                CONTACT).
                                               indirectly affected because they receive
                                               Federal assistance or participate in a                        requirements of the President’s                                 List of Subjects
                                               voluntary Federal aid program;                                Memorandum or the Department
                                                                                                             Manual, recent Department of Interior                           50 CFR Part 224
                                               however, the Federal action agency has
                                               the obligation to avoid destruction or                        regulations (43 CFR 50) set forth a                               Endangered and threatened species,
                                               adverse modification of critical habitat.                     process for establishing formal                                 Exports, Imports, Transportation.
                                                  (B) This rule will not significantly or                    government-to-government relationship
                                                                                                                                                                             50 CFR Part 226
                                               uniquely affect small governments. As                         with the Native Hawaiian Community.
                                               such, a Small Government Agency Plan                          Moreover, we recognize that Native                                  Endangered and threatened species.
                                               is not required.                                              Hawaiian organizations have the                                   Dated: July 16, 2018.
                                                                                                             potential to be affected by Federal                             Samuel D. Rauch, III,
                                               Consultation and Coordination With                            regulations and as such, consideration                          Deputy Assistant Administrator for
                                               Indian Tribal Governments                                     of these impacts may be evaluated as                            Regulatory Programs, National Marine
                                                  The longstanding and distinctive                           other relevant impacts from the                                 Fisheries Service.
                                               relationship between the Federal and                          designation.                                                      For the reasons set out in the
                                               tribal governments is defined by                                 We solicited comments regarding                              preamble, 50 CFR part 224 and 226 are
                                               treaties, statutes, executive orders,                         areas of overlap with the designation                           amended as follows:
                                               judicial decisions, and agreements,                           that may warrant exclusion from critical
                                               which differentiate tribal governments                        habitat for the MHI IFKW due to such                            PART 224—ENDANGERED MARINE
                                               from the other entities that deal with, or                    impacts mentioned above, and/or                                 AND ANADROMOUS SPECIES
                                               are affected by, the Federal government.                      information from affected Native
                                               This relationship has given rise to a                                                                                         ■ 1. The authority citation for part 224
                                                                                                             Hawaiian organizations concerning                               continues to read as follows:
                                               special Federal trust responsibility                          other Native Hawaiian activities that
                                               involving the legal responsibilities and                      may be affected in areas other than                               Authority: 16 U.S.C. 1531–1543 and 16
                                               obligations of the United States towards                                                                                      U.S.C. 1361 et seq.
                                                                                                             those specifically owned by the
                                               Indian tribes and the application of                          organization. We received no additional                         ■ 2. In § 224.101, amend the table in
                                               fiduciary standards of due care with                                                                                          paragraph (h) by revising the entry for
                                                                                                             information regarding any potential
                                               respect to Indian lands, tribal trust                                                                                         ‘‘Whale, false killer (Main Hawaiian
                                                                                                             impacts.
                                               resources, and the exercise of tribal                                                                                         Islands Insular DPS) under the ‘‘Marine
                                               rights. Executive Order 13175, entitled                          In conclusion we find that this critical
                                                                                                                                                                             Mammals’’ subheading to read as
                                               ‘‘Consultation and Coordination with                          habitat designation does not have tribal
                                                                                                                                                                             follows:
                                               Indian Tribal Governments,’’ outlines                         implications, because the final critical
                                               the responsibilities of the Federal                           habitat designation does not include any                        § 224.101 Enumeration of endangered
                                               government in matters affecting tribal                        tribal lands and does not affect tribal                         marine and anadromous species.
                                               interests. ‘‘Federally recognized tribe’’                     trust resources or the exercise of tribal                       *       *    *        *      *
                                               means an Indian or Alaska Native tribe                        rights.                                                             (h) * * *

                                                                                                 Species 1                                                               Citation(s) for listing         Critical   ESA rules
                                                                                                                                                                           determination(s)              habitat
                                                      Common name                             Scientific name                Description of listed entity

                                                                                                                                 Marine Mammals


                                                        *                    *                  *                                        *                          *                   *                            *
                                               Whale, false killer (Main Ha- Pseudorca crassidens .......                   False killer whales found             77 FR 70915, Nov. 28,                § 226.226    NA.
                                                waiian Islands Insular                                                        from nearshore of the                 2012.
                                                DPS).                                                                         main Hawaiian Islands
                                                                                                                              out to 140 km (approxi-
                                                                                                                              mately 75 nautical miles)
                                                                                                                              and that permanently re-
                                                                                                                              side within this geo-
                                                                                                                              graphic range.
sradovich on DSK3GMQ082PROD with RULES2




                                                         *                           *                           *                          *                        *                         *                    *
                                                 1 Species includes taxonomic species, subspecies, distinct population segments (DPSs) (for a policy statement, see 61 FR 4722, February 7,
                                               1996), and evolutionarily significant units (ESUs) (for a policy statement, see 56 FR 58612, November 20, 1991).




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                                               35092                Federal Register / Vol. 83, No. 142 / Tuesday, July 24, 2018 / Rules and Regulations

                                               *      *      *       *       *                           whales that rely entirely on the                      off the south shore), the Navy Pacific
                                                                                                         productive submerged habitat of the                   Missile Range Facility’s Offshore ranges
                                               PART 226—DESIGNATED CRITICAL                              main Hawaiian Islands to support all of               (including the Shallow Water Training
                                               HABITAT                                                   their life-history stages. The following              Range (SWTR), the Barking Sands
                                                                                                         characteristics of this habitat support               Tactical Underwater Range (BARSTUR),
                                               ■ 3. The authority citation of part 226
                                                                                                         insular false killer whales’ ability to               and the Barking Sands Underwater
                                               continues to read as follows:
                                                                                                         travel, forage, communicate, and move                 Range Extension (BSURE; west of
                                                   Authority: 16 U.S.C. 1533.                            freely around and among the waters                    Kauai), the Navy Kingfisher Range
                                               ■   4. Add § 226.226, to read as follows:                 surrounding the main Hawaiian Islands:                (northeast of Niihau), Warning Area 188
                                                                                                            (1) Adequate space for movement and                (west of Kauai), Kaula Island and
                                               § 226.226 Critical habitat for the main
                                               Hawaiian Islands insular false killer whale
                                                                                                         use within shelf and slope habitat;                   Warning Area 187 (surrounding Kaula
                                               (Pseudorca crassidens) Distinct                              (2) Prey species of sufficient quantity,           Island), the Navy Fleet Operational
                                               Population Segment.                                       quality, and availability to support                  Readiness Accuracy Check Site
                                                  Critical habitat is designated for main                individual growth, reproduction, and                  (FORACS) (west of Oahu), the Navy
                                               Hawaiian Islands insular false killer                     development, as well as overall                       Shipboard Electronic Systems
                                               whale as described in this section. The                   population growth;                                    Evaluation Facility (SESEF) (west of
                                               maps, clarified by the textual                               (3) Waters free of pollutants of a type            Oahu), Warning Areas 196 and 191
                                               descriptions in this section, are the                     and amount harmful to main Hawaiian                   (south of Oahu), Warning Areas 193 and
                                               definitive source for determining the                     Islands insular false killer whales; and              194 (south of Oahu), the Kaulakahi
                                               critical habitat boundaries.                                 (4) Sound levels that would not                    Channel portion of Warning area 186
                                                  (a) Critical habitat boundaries.                       significantly impair false killer whales’             (the channel between Niihau and Kauai
                                               Critical habitat is designated in the                     use or occupancy.                                     and extending east), the area north of
                                               waters surrounding the main Hawaiian                         (c) Areas not included in critical                 Molokai (found offshore at the outer
                                               Islands from the 45-meter (m) depth                       habitat. Critical habitat does not include            edge of the designation), the Alenuihaha
                                               contour out to the 3,200-m depth                          the following particular areas where                  Channel, the Hawaii Area Tracking
                                               contour as depicted in the maps below.                    they overlap with the areas described in              System, and the Kahoolawe Training
                                                  (b) Essential features. The essential                  paragraph (a) of this section:                        Minefield.
                                               feature for the conservation of the main                     (1) Pursuant to Endangered Species                    (2) Pursuant to ESA section 4(a)(3)(B),
                                               Hawaiian Islands insular false killer                     Act (ESA) section 4(b)(2), the following              all areas subject to the Joint Base Pearl
                                               whale is the following: Island-                           areas have been excluded from the                     Harbor-Hickam Integrated Natural
                                               associated marine habitat for main                        designation: The Bureau of Ocean                      Resource Management Pl69.
                                               Hawaiian Islands insular false killer                     Energy Management Call Area offshore                     (d) Maps of main Hawaiian Islands
                                               whales. Main Hawaiian Islands insular                     of the Island of Oahu (which includes                 insular false killer whale critical habitat.
                                               false killer whales are island-associated                 two sites, one off Kaena point and one                BILLING CODE 3510–22–P
sradovich on DSK3GMQ082PROD with RULES2




                                                                                                                                                                                                              ER24JY18.000</GPH>




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            Federal Register/Vol. 83, No. 142 /Tuesday, July 24, 2018 /Rules and Regulations                                                                                       35093

                           Final MHI IFKWCritical Habitat: around Nithau and Kauai


22°*30 0N
                                                                                                                                 %                  7.




                                          Warning Area 188A and B
                                                                                                                      L
                                                                                                                      LGGfGGGGP
                                                                                                                        —       "jZ:-:V *

                                              and PMRF Offshore Areas
                                                                          \,

                                                                    x’f .f’“f/f    Fal                        fe



                                           ncSLZTGTTGGPGGG         T
                                                           .-"; &     «**f;.fi                      *«



                                                     GGGGGGGGG
                                         ef’/,/f/%% GGGGGGGG
                 Kingfisher Range
                                              z.
                                          /,f *
                                         ,y
                                                           *
                                                    A ,f‘/}f
                                                             Z7 é
                                                                  /77    /                /

                    9          98 1L/7/[//7                                       7/ /
                                                                                         Ae"‘_,»‘   f;}éfij"




                                          /:'/; *,:”f,f'
                                                                     77%f’jflf’” /7
22°*0‘0 N




                                 L LLL   47




                                                           Kaulakahi Channel
21°300N




                   C                                           Portion of W—186

                 National Security Exclusions
                ] Final MHI IFKW Critical Habitat                                                                           6 _ 8 ____ 40 Kometers
                                                                                                                            |     1   t     1   I        1   T   T   |

                             1                                             1                                            I                                                   I
                        160° 30°0°W                                 160° 0oWw                                      159°30‘0°NW                                           199°COW


35094               Federal Register/Vol. 83, No. 142 /Tuesday, July 24, 2018 /Rules and Regulations


                                 Final MHI IFKW Critical Habitat: around Oahu

        21°30‘0"N
        21°0‘0"N
                    1




                        Ewa Training Minefield




                                                                     Warning Areas 193 and 194
        20°30‘0"N
                    |




                        F777 National Security Exclusions
                                EconomicExclusions
                                Areas Not Eligible for Critical Habitat Designation
                            | Final MHI IFKW Critical Habitat                    o           20   40 Kilometers
                            _    &   ;       .     ‘       = gou >      &                                  |




                                                       I                                 t
                                                 158°0‘0"WwW                         157°30°0"W


                   Federal Register/Vol. 83, No. 142 /Tuesday, July 24, 2018 /Rules and Regulations                                      35095

                                              Final MHI1 IFKW Critical Habitat: around Maul, Lanai, Molokai, and Kahoolawe




                  21°00"N




                                          National Security Exclusions

                                          Final MHI IFKW Critical Habitat
                               157 "300°VWY                                                            156°IOVW
                   19°30‘0"N




                                          National Security Exclusions

                                          Final MHI IFKW Critical Habitat        \—                           rergoeeeyc
                                                                        T                                                        1
                                                                    156°WOVY                                                 154°300VW




[FR Doc. 2018—15500 Filed 7—23—18; 8:45 am|
BILLING CODE 3510—22—C



Document Created: 2018-07-24 00:10:10
Document Modified: 2018-07-24 00:10:10
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule becomes effective August 23, 2018.
ContactSusan Pultz, NMFS, Pacific Islands Region, Chief, Conservation Planning and Rulemaking Branch, (808) 725- 5150; or Lisa Manning, NMFS, Office of Protected Resources (301) 427- 8466.
FR Citation83 FR 35062 
RIN Number0648-BC45
CFR Citation50 CFR 224
50 CFR 226
CFR AssociatedEndangered and Threatened Species; Exports; Imports and Transportation

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