[Federal Register Volume 85, Number 88 (Wednesday, May 6, 2020)]
[Rules and Regulations]
[Pages 27028-27083]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2020-07933]
[[Page 27027]]
Vol. 85
Wednesday,
No. 88
May 6, 2020
Part II
Department of Commerce
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National Oceanic and Atmospheric Administration
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50 CFR Part 219
Taking and Importing Marine Mammals; Taking Marine Mammals Incidental
to Southeast Fisheries Science Center Fisheries Research; Final Rule
Federal Register / Vol. 85, No. 88 / Wednesday, May 6, 2020 / Rules
and Regulations
[[Page 27028]]
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DEPARTMENT OF COMMERCE
National Oceanic and Atmospheric Administration
50 CFR Part 219
[Docket No. 200409-0108]
RIN 0648-BG44
Taking and Importing Marine Mammals; Taking Marine Mammals
Incidental to Southeast Fisheries Science Center Fisheries Research
AGENCY: National Marine Fisheries Service (NMFS), National Oceanic and
Atmospheric Administration (NOAA), Commerce.
ACTION: Final rule, notification of issuance.
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SUMMARY: NMFS's Office of Protected Resources (OPR), upon request from
NMFS's Southeast Fisheries Science Center (SEFSC), hereby issues
regulations to govern the unintentional taking of marine mammals
incidental to fisheries research conducted in the Atlantic Ocean along
the southeastern U.S. coast and select estuaries, the Gulf of Mexico
and select estuaries, and the Caribbean Sea over the course of 5 years.
These regulations, which allow for the issuance of Letters of
Authorization (LOA) for the incidental take of marine mammals during
the described activities and specified timeframes, prescribe the
permissible methods of taking and other means of effecting the least
practicable adverse impact on marine mammal species or stocks and their
habitat, as well as requirements pertaining to the monitoring and
reporting of such taking.
DATES: Effective from June 5, 2020, through June 5, 2025.
ADDRESSES: A copy of the SEFSC's application and supporting documents,
as well as a list of the references cited in this document, may be
obtained online at: www.fisheries.noaa.gov/action/incidental-take-authorization-noaa-fisheries-afsc-fisheries-and-ecosystem-research. In
case of problems accessing these documents, please call the contact
listed below.
FOR FURTHER INFORMATION CONTACT: Jaclyn Daly, Office of Protected
Resources, NMFS, (301) 427-8401.
SUPPLEMENTARY INFORMATION:
Purpose and Need for Regulatory Action
These regulations, issued under the authority of the MMPA (16
U.S.C. 1361 et seq.), establishes a framework for authorizing the take
of marine mammals incidental to fisheries-independent research
conducted by the SEFSC (in the Atlantic Ocean and associated estuaries,
Gulf of Mexico and associated estuaries, and Caribbean Sea). SEFSC
fisheries research has the potential to take marine mammals due to
possible physical interaction with fishing gear (e.g., trawls,
gillnets, hook-and-line gear) and exposure to noise generated by SEFSC
sonar devices (e.g., echosounders, side-scan sonar). The SEFSC
submitted an application to NMFS requesting 5-year regulations and a
letter of authorization (LOA) to take multiple species and stocks of
marine mammals in the three specified research areas (Atlantic, Gulf of
Mexico, and Caribbean). The SEFSC requested, and NMFS has authorized,
take, by mortality, serious injury, and Level A harassment, incidental
to the use of various types of fisheries research gear and Level B
harassment incidental to the use of active acoustic survey sources. The
regulations are valid from June 5, 2020, through June 5, 2025.
Legal Authority for the Action
Section 101(a)(5)(A) of the MMPA (16 U.S.C. 1371(a)(5)(A)) directs
the Secretary of Commerce to allow, upon request, the incidental, but
not intentional taking of small numbers of marine mammals by U.S.
citizens who engage in a specified activity (other than commercial
fishing) within a specified geographical region for up to 5 years if,
after notice and public comment, the agency makes certain findings and
issues regulations that set forth permissible methods of taking
pursuant to that activity, as well as monitoring and reporting
requirements.
Section 101(a)(5)(A) of the MMPA and the implementing regulations
at 50 CFR part 216, subpart I provide the legal basis for issuing these
final rules containing 5-year regulations and subsequent Letters of
Authorization. As directed by this legal authority, these final rules
contain mitigation, monitoring, and reporting requirements.
Summary of Major Provisions Within the Regulations
Following is a summary of the major provisions for the SEFSC within
the final rulemaking. The SEFSC is required to:
Delay setting or haul in gear if marine mammal interaction
may occur.
Monitor prior to and during sets for signs of potential
marine mammal interaction.
Implement the ``move-on rule'' mitigation strategy during
select surveys (note: this measure does not apply to bottlenose
dolphins).
Limit gear set times (varies based on gear type).
Haul gear immediately if marine mammals may interact with
gear.
Utilize dedicated marine mammal observations during select
surveys.
Prohibit chumming.
Continue investigation on the effectiveness of modifying
lazy lines to reduce bottlenose dolphin entanglement risk.
Establish and convene the South Carolina Department of
Natural Resources (SCDNR) Working Group to better understand bottlenose
dolphin entanglement events and apply effective mitigation strategies.
We note that in the proposed rule (84 FR 6576, February 27, 2019),
we proposed regulations that would have applied separately both to the
SEFSC and Texas Parks and Wildlife Department (TPWD). Since that time,
new information has emerged regarding TPWD's activity that NMFS is
considering before making final decisions regarding the take of marine
mammals incidental to TPWD's gillnet fishing. Here, we announce
issuance of regulations for SEFSC only.
Background
Sections 101(a)(5)(A) and (D) of the MMPA (16 U.S.C. 1361 et seq.)
direct the Secretary of Commerce (as delegated to NMFS) to allow, upon
request, the incidental, but not intentional, taking of small numbers
of marine mammals by U.S. citizens who engage in a specified activity
(other than commercial fishing) within a specified geographical region
if certain findings are made and either regulations are issued or, if
the taking is limited to harassment, a notice of a proposed
authorization is provided to the public for review.
An authorization for incidental takings shall be granted if NMFS
finds that the taking will have a negligible impact on the species or
stock(s), will not have an unmitigable adverse impact on the
availability of the species or stock(s) for subsistence uses (where
relevant), and if the permissible methods of taking and requirements
pertaining to the mitigation, monitoring and reporting of such takings
are set forth.
NMFS has defined ``negligible impact'' in 50 CFR 216.103 as an
impact resulting from the specified activity that cannot be reasonably
expected to, and is not reasonably likely to, adversely affect the
species or stock through effects on annual rates of recruitment or
survival. The MMPA states that the term ``take'' means to harass, hunt,
capture, kill or attempt to harass, hunt, capture, or kill any marine
mammal.
[[Page 27029]]
Except with respect to certain activities not pertinent here, the
MMPA defines ``harassment'' as any act of pursuit, torment, or
annoyance which (i) has the potential to injure a marine mammal or
marine mammal stock in the wild (Level A harassment); or (ii) has the
potential to disturb a marine mammal or marine mammal stock in the wild
by causing disruption of behavioral patterns, including, but not
limited to, migration, breathing, nursing, breeding, feeding, or
sheltering (Level B harassment).
Summary of Request
On May 4, 2015, NMFS OPR received an application from the SEFSC for
a rulemaking and associated 5-year Letter of Authorization (LOA) to
take marine mammals incidental to fisheries research activities
conducted by the SEFSC and 18 cooperating research partners in the
Atlantic Ocean Research Area (ARA), Gulf of Mexico Research Area
(GOMRA), and Caribbean Research Area (CRA). The SEFSC submitted a
revised draft in October 2015, followed by another revision on April 6,
2016, which we deemed adequate and complete. On April 22, 2016 (81 FR
23677), we published a notice of receipt of the SEFSC's application
and, subsequently, on February 27, 2019, a notice of proposed
rulemaking in the Federal Register (84 FR 6576) that requested comments
and information related to the SEFSC's request for 30 days. The SEFSC
request is for the take of 15 species of marine mammals by mortality,
serious injury, and Level A harassment (hereafter referred to as ``M/
SI'') and 34 species of marine mammals by Level B harassment.
Description of the Specified Activity
Overview
The SEFSC is the research arm of NMFS in the Southeast Region. The
SEFSC plans, develops, and manages a multidisciplinary program of basic
and applied research to generate the information necessary for the
conservation and management of the region's living marine resources,
including the region's marine and anadromous fish and invertebrate
populations to ensure they remain at sustainable and healthy levels.
The SEFSC collects a wide array of information necessary to evaluate
the status of exploited fishery resources and the marine environment
from fishery independent (i.e., non-commercial or recreational fishing)
platforms. Surveys are conducted from NOAA-owned and operated vessels,
NOAA chartered vessels, or research partner-owned or chartered vessels
in the state and Federal waters of the Atlantic Ocean south of
Virginia, Gulf of Mexico, and Caribbean Sea. All work will occur within
the Exclusive Economic Zone (EEZ), except for two surveys which may
occur outside the EEZ.
The SEFSC plans to administer, fund, or conduct 74 fishery-
independent survey programs over the 5-year period the regulations are
effective (see Table 1-1 in the SEFSC's application). The SEFSC works
with 18 Federal, state, or academic partners to conduct these surveys
(see Table 1-1 in SEFSC's application for a list of cooperating
research partners). Of the 74 surveys, only 38 involve gear and
equipment with the potential to take marine mammals. Gear types include
towed trawl nets fished at various levels in the water column, seine
nets, traps, longline and other hook and line gear. Surveys using any
type of seine net (e.g., gillnets), trawl net, or hook and line (e.g.,
longlines) have the potential for marine mammal interaction (e.g.,
entanglement, hooking) resulting in M/SI harassment. In addition, the
SEFSC conducts hydrographic, oceanographic, and meteorological sampling
concurrent with many of these surveys which requires the use of active
acoustic devices (e.g., side-scan sonar, echosounders). These active
sonars result in elevated sound levels in the water column, resulting
in the potential to behaviorally disturb marine mammals resulting in
Level B harassment.
Many SEFSC surveys only occur at certain times of the year to align
with the target species and age class being researched (see Table 1-1
in SEFSC's application). However, in general, the SEFSC conducts some
type of sampling year round in various locations. Specific dates and
duration of individual surveys are inherently uncertain because they
are based on congressional funding levels, weather conditions, and ship
contingencies. For example, some surveys are only conducted every 2 or
3 years or when funding is available. Timing of the surveys is a key
element of their design. Oceanic and atmospheric conditions, as well as
ship contingencies, often dictate survey schedules even for routinely-
conducted surveys. In addition, cooperative research is designed to
provide flexibility on a yearly basis in order to address issues as
they arise. Some cooperative research projects last multiple years or
may continue with modifications. Other projects only last one year and
are not continued. Most cooperative research projects go through an
annual competitive selection process to determine which projects should
be funded based on proposals developed by many independent researchers
and fishing industry participants. The exact location of survey effort
also varies year to year (albeit in the same general area) because they
are often based on randomized sampling designs. Year-round, in all
research areas, one or more of the surveys planned has the potential to
take marine mammals.
Specified Geographic Region
The SEFSC conducts research in three research areas: The Atlantic
Ocean from North Carolina to Florida and associated estuaries (ARA),
the Gulf of Mexico and associated estuaries (GOMRA), and the Caribbean
around Puerto Rico and the US Virgin Islands (CRA). Research surveys
occur both inside and outside the U.S. Exclusive Economic Zone (EEZ),
and sometimes span across multiple ecological, physical, and political
boundaries (see Figure1-2 in the SEFSC's application for map). With
respect to gear, Appendix B in the NMFS PEA includes a table and
figures showing the spatial and temporal distribution of fishing gear
used during SEFSC research.
The three research areas fully or partially encompass four Large
Marine Ecosystems (LMEs): The Northeast U.S. Continental Shelf LME (NE
LME), the Southeast U.S. Continental Shelf LME (SE LME), the Gulf of
Mexico LME, (GOM LME), and the Caribbean Sea LME (CS LME). LMEs are
large areas of coastal ocean space, generally include greater than
200,000 square kilometers (km\2\) of ocean surface area and are located
in coastal waters where primary productivity is typically higher than
in open ocean areas. LME physical boundaries are based on four
ecological criteria: Bathymetry, hydrography, productivity, and trophic
relationships. NOAA has implemented a management approach designed to
improve the long-term sustainability of LMEs and their resources by
using practices that focus on ensuring the sustainability of the
productive potential for ecosystem goods and services. Figure 2-1 in
the SEFSC's application shows the location and boundaries of the three
research areas with respect to LME boundaries. We note here that, while
the SEFSC specified geographical region extends outside of the U.S.
EEZ, into the Mexican EEZ (not including Mexican territorial waters),
the MMPA's authority does not extend into foreign territorial waters. A
complete description of the SEFSC's three research areas is provided in
the proposed rule (84 FR 6576, February 27, 2019) and Chapter 3 of the
Final PEA.
[[Page 27030]]
Detailed Description of Activities
To carry out this research, the SEFSC proposes to administer or
conduct 74 survey programs during the 5-year period the proposed
regulations would be effective. However, only 44 surveys have the
potential to take marine mammals from gear interaction or acoustic
harassment. Surveys would be carried out by SEFSC scientists alone or
in combination with Federal, state, or academic partners while some
surveys would be carried out solely by cooperating research partners.
Surveys not conducted by SEFSC staff are included here because they are
funded or have received other support (e.g., gear) by the SEFSC. SEFSC
scientists conduct fishery-independent research onboard NOAA-owned and
operated vessels or chartered vessels while partners conduct research
aboard NOAA, their own or chartered vessels. Table 1 provides a summary
of annual projects including survey name, entity conducting the survey,
location, gear type, and effort. The information presented here
augments the more detailed table included in the SEFSC's application.
In the subsequent section, we describe relevant active acoustic
devices, which are commonly used in SEFSC survey activities. Appendix A
of the SEFSC's application contains detailed descriptions, pictures,
and diagrams of all research gear and vessels used by the SEFSC and
partners under this rulemaking. We provided a detailed description of
the SEFSC planned research activities, gear types, fishing methods, and
active acoustic sound sources used in the notice of rulemaking (84 FR
6576; February 27, 2019) and do not repeat that information here. There
are no changes to the specified activities, gear types, fishing
methods, or active acoustic sound sources described in that document.
Table 1--Summary Description of Fisheries and Ecosystem Research Activities Conducted or Funded by the SEFSC in the GOMRA, ARA, and CRA
--------------------------------------------------------------------------------------------------------------------------------------------------------
Season, frequency,
Survey name (research agency) General area of yearly days at sea Vessel used Gear used Number of stations
operation (DAS)
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Gulf of Mexico Research Area
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HMS-GOM Shark Pupping & Nursery SEFSC--FL Panhandle in Annual Apr-Oct, 30 USCG Class I: R/V Set gillnet.......... SEFSC--16-20 sets/
Survey (GULFSPAN), (SEFSC, USM/ St. Andrew Bay and DAS, (approximately 4 Mokarran, R/V month, up to 120
GCRL, UWF, FSU/CML) \1\* UWF is St. Joseph Bay, 1-10 days/month), daytime Pristis. sets total.
inactive. m depths. operations only.
Mississippi Sound, 1-9 Annual Apr-Oct, 8 DAS USCG Class I: Small Set gillnet.......... 3 sets/month 21 sets
m depths. (1/month), daytime vessel. total.
operations only.
Perdido Bay, Pensacola Annual May-Sep, 10 DAS USCG Class I: State Set gillnet.......... 10 sets/month 50 sets
Bay, Choctawhatchee (2/month), daytime vessel. total.
Bay, and Santa Rosa operations only.
Sound, 1.5-6 m depths.
Northwest FL state Annual................ USCG Class I: R/V Set gillnet.......... 74 sets/yr total.
waters, 0.7-7 m ...................... Naucrates. (A) 24 sets.
depths. ...................... (B) 50 sets.
(A) Apalachee Bay..... (A) Jan-Dec, 12 DAS (1/ Bottom longline...... 74 sets/yr total.
month). (A) 24 total.
(B) Alligator Pt.-- (B) June & July, 20 (B) 50 total.
Anclote Keys. DAS, daytime
operations only.
State waters of Annual May-Sep, 15 USCG Class I: State Set gillnet.......... 16 sets/month (within
southwest FL within DAS, daytime vessel. two designated 10
Pine Island Sound in operations only. km\2\ grids), 80
the Charlotte Harbor sets total.
estuary. Depth ranges
0.6-4.6 m depth.
IJA Coastal Finfish Gillnet Survey, Mississippi Sound and Annual, Jan-Dec, 24 USCG Class I: Small Sinking gillnet, 8 sets/month, 96 sets
(MDMR) \1\. estuaries; 0.2-2 m DAS, daytime vessel. shallow deployment. total.
depths. operations only.
Smalltooth Sawfish Abundance Ten Thousand Islands, Annual, Mar-Nov, 56 USCG Class I: R/V Set gillnet, shallow ~20 sets/month, 180-
Survey, (SEFSC) \1\. FL backcountry DAS (6-7 DAS/trip), Pristis. deployment. 200 sets total.
region, including daytime operations
areas in Everglades only.
National Park and Ten
Thousand Island
National Wildlife
Refuge in 0.2-1.0 m
depths.
Pelagic Longline Survey-GOM, U.S. GOM.............. Intermittent, Feb-May, USCG R/V: R/V Oregon Pelagic longline..... 100-125 sets.
(SEFSC) \1\. 30 DAS, 24 hour II. CTD profiler......... 100-125 casts.
operations (set/haul
anytime day or night).
Shark and Red Snapper Bottom Randomly selected Annually, July-Sep, 60 USCG R/V: R/V Oregon Bottom longline...... 175 sets.
Longline Survey-GOM, (SEFSC) \1\. sites from FL to DAS, 24 hour II, R/V Gordon CTD profiler and 175 casts.
Brownsville, TX operations (set/haul Gunter;. rosette water
between bottom depths anytime day or night). USCG Small R/V: R/V sampler.
9-366 m. Caretta, R/V Gandy.
SEAMAP--GOM Bottom Longline Survey AL--MS Sound, Mobile Annually, Apr-May, USCG Class III: R/V Bottom longline...... AL--32 sets.
(ADCNR, USM-GCRL, LDWF, TPWD) \1\. Bay, and near Dauphin June-July, Aug-Sep;. E.O. Wilson, R/V CTD Profiler......... MS--40.
Island. AL--8 DAS, day Alabama Discovery, R/ LA--98.
MS--MS Sound, south of operations only. V Defender I, R/V TX--20.
the MS Barrier MS--16 DAS, day Tom McIlwain, RV Jim AL--32 casts.
Islands, Chandeleur, operations only. Franks, R/V Nueces, LA--40.
and Breton Sound, and R/V SanJacinto; USCG
the area east of the R/V: R/V Blazing
Chandeleur Islands. Seven (2011-2014).
[[Page 27031]]
LA--LA waters west of LA--30 DAS, day ..................... Water quality and MS--40 casts.
the MS River. operations only. chemistry (YSI TX--20.
TX--near Aransas Pass TX--10 DAS, day instruments, Niskin
and Bolivar Roads operations only. bottles, turbidity
Ship Channel. meter).
IJA Biloxi Bay Beam Trawl Survey MS state waters in Annually, Jan-Dec, 25 USCG Class I: R/V Modified beam trawl.. 11 trawls/month, 132
(MDMR) \1\. Biloxi Bay, 1-2 m DAS, day operations Grav I, R/V Grav II, trawls total.
depths. only. R/V Grav IV.
IJA Inshore Finfish Trawl Survey MS state waters from Annually, Jan-Dec, 12 USCG Class I: Small Otter trawl.......... 72 trawls.
(MDMR)\1\. Bay St. Louis, to DAS, day operations vessel R/V Geoship.
approximately 2 miles only.
south Cat Island, 1-8
m depths.
IJA Open Bay Shellfish Trawl Survey TX state waters in Annually, Jan-Dec, 120 USCG Class I: Small Otter trawl.......... 90 trawls/month, 1080
(TPWD) \1\. Galveston, Matagorda, DAS, day operations vessel. Water quality and trawls total.
Aransas, and Corpus only. USCG Class II: R/V chemistry (YSI
Christi Bays and the Trinity Bay, R/V instruments, Niskin
lower Laguna Madre, 1- Copano Bay, R/V RJ bottles, turbidity
10 m depths. Kemp. meter).
Oceanic Deep-water Trawl--GOM, U.S. GOM waters >500 m Intermittent due to USCG R/V: R/V Gunter, High Speed Midwater 60 trawls (2-3 per
(SEFSC) \1\. deep. funding, 20 DAS, 24 R/V Pisces. Trawl, Aleutian Wing day).
hour operations, * Trawl. 60 casts.
conducted in 2009 & CTD profiler and Tow speed: 0.
2010 and in the rosette water Duration: 60-90 min.
future as funding sampler.
allows.
St. Andrew Bay Juvenile Reef Fish St. Andrew Bay, FL, up Annually, May-Nov, 28 USCG Class I: Boston Benthic Trawl........ 13 trawls per week,
Trawl Survey, (SEFSC) \1\. to 2 m depths. DAS, day operations Whaler. 24 weeks, 312 trawls
only, (one day/week). total.
Small Pelagics Trawl Survey, U.S. GOM in depths of Annually, Oct-Nov, 40 USCG R/V: R/V Gordon High-opening bottom 150-200 trawls.
(SEFSC) \1\. 50-500 m. DAS, 24 hour Gunter, R/V Pisces. trawl. Continuous.
operations (set/haul Simrad ME70 Multi-
anytime day or night). Beam echosounder.
EK60 Multi-frequency Continuous.
single-beam active
acoustics.
ADCP................. Continuous.
CTD profiler and 250 casts.
rosette water
sampler.
SEAMAP-GOM Shrimp/Groundfish Trawl U.S. GOM from FL to Annually, summer (June USCG Class II: R/V Otter trawl.......... Effort evenly divided
Survey (SEFSC, FFWCC, ADCNR, USM/ Mexico in depths of 9- & July) and fall (Oct- Trinity Bay, R/V CTD profiler and between seasons
GCRL, LDWF) \1\. 110-360 m. Nov), effort evenly Copano Bay, R/V RJ rosette water unless noted.
divided between Kemp. sampler\uses YSI SEFSC--345 trawls
seasons unless noted; USCG Class III: R/V Datasonde 6600 v2-4. (summer), 325
all surveys have 24 A.E. Verrill, R/V (fall).
hour operations-set/ Alabama Discovery, R/ FL--160 (summer
haul anytime day or V Sabine Lake, R/V only).
night;. Nueces, R/V San AL--16-24.
SEFSC--80 DAS......... Jacinto, R/V San MS--60.
FL--20 DAS (summer Antonio, R/V LA--32.
only). Matagorda Bay. SEFSC--395 casts
AL--6 DAS............. USCG R/V: R/V Oregon (summer), 305
MS--6 DAS............. II, R/V Tommy Munro, (fall).
LA--5 DAS............. R/V Weatherbird II, FL--200 (summer
R/V Pelican, R/V only).
Blazing Seven (2011- AL--20.
2014), R/V Point Sur. MS--81.
LA--39.
SEFSC BRD Evaluations (SEFSC) \1\.. State and Federal Annually, May & Aug USCG Class III: R/V Western jib shrimp 20 paired trawls each
nearshore and (one week/month), 14 Caretta. trawls. season, 40 paired
offshore waters off DAS, night operations trawls total.
FL, AL, MS, and LA at only.
depths of 10-35 m.
Also Mississippi
Sound at depths of 3-
6 m.
SEFSC-GOM TED Evaluations, (SEFSC) State and Federal Annually, May, Aug, & USCG Class I & II: Western jib shrimp 30 paired trawls per
\1\. nearshore and Sep (one week/month), NOAA small boats. trawls. season, 90 paired
offshore waters off 21 DAS, day USCG Class III: R/V trawls total.
FL, AL, MS, and LA at operations only. Caretta.
depths of 10-35 m.
Also Mississippi
Sound at depths of 3-
6 m.
SEFSC Skimmer Trawl TED Testing Conducted in Annually until 2016 USCG Class III: R/V Skimmer trawls....... 600 paired trawls.
(SEFSC) \1\. Mississippi Sound, (tentative depending Caretta.
Chandeleur Sound, and on funding and need)
Breton Sound at May-Dec, 5-15 DAS/
depths of 2-6 m. month, 60 DAS total,
24 hour operations-
set/haul anytime day
or night.
[[Page 27032]]
SEFSC Small Turtle TED Testing and State waters in St. Annually, 21 DAS, day USCG Class III: R/V Western jib shrimp 100 paired trawls.
Gear Evaluations (SEFSC) \1\. Andrews Bay, FL and operations only. Caretta. trawls are utilized
off Shell Island and/ during TED
or Panama City Beach, evaluations.
FL at depths of 7-10
m.
IJA Biloxi Bay Seine Survey, MS state waters in Annually, Jan-Dec, 25 USCG Class I & II: R/ Bag seine............ 11 sets/month, 132
(MDMR)\1\. Biloxi Bay, 1-2 m DAS, day operations V Grav I, R/V Grav sets total.
depths. only. II, R/V Grav IV,
small vessel.
IJA Oyster Dredge Monitoring MS state waters, at Annually, Jan-Dec, 12 USCG Class I: R/V Oyster dredge........ 38 tows.
Survey, (MDMR). commercially DAS, day operations Rookie USCG Class
important oyster only. II: R/V Silvership.
reefs: Pass Christian
Complex, Pass
Marianne Reef,
Telegraph Reef and
St. Joe Reef, in 5-15
ft depths.
IJA Shoreline Shellfish Bag Seine TX state waters in Annually, Jan-Dec, 120 N/A.................. Bag seine............ 100 sets/month, 1200
Survey, (TPWD) \1\. Galveston, Matagorda, DAS, day operations total.
Aransas, and Corpus only.
Christi Bays and the
lower Laguna Madre, 0-
6 ft depths.
Marine Mammal and Ecosystem Northern GOM.......... Every three years, USCG R/V: R/V Gordon CTD profiler and 60 casts.
Assessment Survey-GOM, (SEFSC) \1\. June-Sep, 60 DAS, 24 Gunter. rosette water .....................
hour operations (set/ sampler. 300 units.
haul anytime day or Expendable bathy-
night). thermographs.
ADCP................. Continuous.
Simrad ME70 Multi- Continuous.
Beam echosounder.
EK60 Multi-frequency Continuous.
single-beam active
acoustics.
Passive acoustic Continuous.
arrays.
Northeast GOM MPA Survey, (SEFSC) * Madison-Swanson, Annually, Feb-Mar, 60 USCG Class III: R/V 4-camera array....... 100-200 deployments.
Currently Inactive. Steamboat Lumps, and DAS, day operations Caretta. CTD Profiler......... 100-200 casts.
The Edges marine only.
reserves on the West
Florida Shelf.
Panama City Laboratory Reef Fish Penscecola, FL to Annually, May-Sep, 40 USCG Class II: R/V 4-camera array....... 200 deployments.
(Trap/Video) Survey, (SEFSC). Cedar Key, FL. DAS, day operations Harold B, USCG Class Chevron fish trap 100 sets.
only. III: R/V Caretta , R/ outfitted with one
V Defender, R/V GoPro video camera.
Apalachee.
CTD profiler......... 200 casts.
SEAMAP-GOM Finfish Vertical Line State and Federal AL: Annually, two USCG Class III: R/V Bandit gear.......... AL: 120 sets per
Survey, (ADCNR, LDWF, USM/GCRL). waters off Alabama at intervals: Spring Escape, R/V Lady season, 240 sets
sampling depths from (Apr/May) and summer Ann, R/V Defender I total.
60 to 500 ft and LA (July-Sep), 9 DAS, USCG R/V: R/V LA: 100 sets total.
waters west of the day operations only Blazing Seven (2011- TX: 165 sets total.
Mississippi River LA and TX: Annually, 2014), Poseidon,
across three depth April-Oct. Trident R/V Sabine,
strata (60-120 ft, San Jacinto, San
120-180 ft, and 180- Antonio, Nueces,
360 ft) and selected Laguna.
areas of Texas at
three depth strata
(33-66 ft, 66-132 ft,
and 132-495 ft).
Stations are sampled
during daylight hours.
State and Federal Annually, Mar-Oct, 16 USCG Class III: R/V Bandit gear.......... 15 stations/season--
waters off MS. DAS (4 days/month), Jim Franks. 45 stations total, 3
Sampling depths 5-55 day operations only. sets per station,
fathoms. Stations are 135 sets total.
sampled during
daylight hours.
SEAMAP-GOM Plankton Survey, (ADCNR, State and Federal AL: Annually, Aug-Sep, USCG Class III: R/V Bongo net............ AL: 6 tows.
LDWF, USM/GCRL). waters off the coast 2 DAS, day operations A.E. Verrill, R/V LA: 9 tows.
of AL, MS, LA, and FL. only. Alabama Discovery, R/ MS: 20 tows.
V Acadiana.
LA: Annually, June, USCG R/V: R/V Blazing Neuston net.......... AL: 6 tows...........
Sep, 2 DAS, day Seven (2011-2014), R/ LA: 9 tows...........
operations only. V Point Sur; R/V MS/FL: 20 tows.......
Defender.
MS: Annually, May and CTD Profiler......... AL: 6 casts.
Sep, 4 DAS, 24 hour LA: 9 casts.
operations. MS/FL: 20 casts.
[[Page 27033]]
SEAMAP-GOM Plankton Survey, (SEFSC) Coastal, shelf and Annually, Feb-Mar USCG R/V: R/V Oregon Bongo net............ 650 tows.
open ocean waters of (winter), 30 DAS;. II, R/V Gordon Neuston net.......... 650 tows.
the GOM. Apr-May (spring), 60 Gunter, R/V Pisces. MOCNESS.............. 378 tows.
DAS. Methot juvenile fish 126 tows.
net.
Aug-Sep (fall), 36 DAS CTD profiler and 756 casts.
24 hour operations rosette water
(set/haul anytime day sampler.
or night).
SEAMAP-GOM Reef Fish Monitoring, West FL shelf from Annual, July-Sep, 50 USCG Class I & II: R/ 2-camera array....... 150 deployments.
(FFWCC). 26[deg]N to Dry DAS, daylight hours. V No Frills, R/V
Tortugas, FL. Gulf Mariner, R/V
Sonic, R/V Johnson,
chartered fishing
vessels.
USCG Small R/V: R/V Chevron fish trap.... 300-450 sets.
Bellows, R/V
Apalachee USCG R/V:.
R/V Weatherbird...... CTD profiler......... 300 casts.
SEAMAP-GOM Reef Fish Survey, Gulf-wide survey from Annual, Apr-July, 60 USCG Class III: R/V 4-camera array....... 400-600 deployments.
(SEFSC). Brownsville, TX to DAS, 24 hour Caretta, R/V Gandy. Chevron trap 50-100 sets.
Key West, FL, in operations on large USCG R/V: R/V Pisces, (discontinued use in 400-600 casts.
depths of 15-500 ft. vessels (cameras, R/V Oregon II. 2013). 120 sets.
Approximately 7.0% of traps, bandit-- USCG R/V: Southern CTD Profiler......... .....................
this survey effort daytime only), 12 Journey. Bandit Reels......... Continuous.
(458 stations) occurs hour operations on NOAA Ship: Gordon Acoustic Doppler .....................
within the Florida small vessels Hunter. Current Profiler. Continuous.
Garden Banks NMS. (daytime only). Simrad ME70 Multi-
beam echosounder.
EK60 Multi-frequency Continuous.
single-beam active
acoustics.
IJA Oyster Visual Monitoring MS state waters, 5-15 Annually, Sep/Oct to USCG Class I & II: R/ SCUBA divers......... ~20 dives.
Survey, (MDMR). ft depths. Apr/May of following V Silvership, R/V
year, 12 DAS, day Rookie.
operations only.
Reef Fish Visual Census Survey--Dry Dry Tortugas area in Biannually, May-Sept, USCG Class II & III: SCUBA divers with 300 stations (4dives
Tortugas, Flower Gardens (SEFSC). the GOM, <33m deep. 25 DAS, day Chartered dive meter sticks, 30 cm per station).
operations only. vessel. rule and digital
camera.
Tortugas Ecological Reserve Survey, Tortugas South Biannually, summer USCG Class II & III: SCUBA divers, 16 stations, each
(SEFSC) *. Ecological Reserve, (June or July), 6 Chartered vessel. transect tape, station done 2-3
* Currently inactive since 2015.... Florida Keys National days, day and night clipboards/pencils. times.
Marine Sanctuary. 12 hour operations.
* Survey has been
discontinued since
2015.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Atlantic Research Area
--------------------------------------------------------------------------------------------------------------------------------------------------------
ACFCMA American Eel Fyke Net Goose Creek Reservoir Annually, Feb-Apr, 32 USCG Class A: John Fyke net............. 1 station per day, 40
Survey, (SCDNR). or the Cooper River, DAS, day operations Boat--no motor, walk/ collections total.
near Charleston, SC, only. wade to work net.
1-7 ft depths.
Thermometer.......... 32 casts.
ACFCMA American Shad Drift Gillnet Santee, Edisto, Annual, Jan-Apr, (2-3 USCG Class I: R/V Drift gillnet........ 4-5 sets/trip, 120
Survey, (SCDNR) \1\. Waccamaw, Combahee trips/week), 40 DAS, Bateau, R/V McKee sets total.
Rivers, SC. day operations only. Craft.
RecFIN Red Drum Trammel Net Survey, Coastal estuaries and Annually, Jan-Dec, 120- USCG Class I: Florida Trammel net.......... 1000 sets/yr covering
(SCDNR). rivers of SC in 144 DAS (14-18 days/ Mullet Skiffs. 225 stations/yr.
depths of 6 ft or month), day Operates in 7-9
less along shoreline. operations only. strata/month.
HMS Chesapeake Bay and Coastal Chesapeake Bay and Annually, May-Oct (5 USCG Class III: R/V Bottom longline...... 50 sets.
Virginia Bottom Longline Shark state and Federal days/month), 30 DAS, Bay Eagle.
Survey, (VIMS) \1\. waters off Virginia. day operations only.
Hydrolab MS5 Sonde... 50 casts.
MARMAP Reef Fish Long Bottom South Atlantic Bight Annually 1996-2012 *, USCG Small R/V: R/V Bottom longline...... 60 sets.
Longline Survey, (SCDNR) \1\. (between 27[deg] N Aug-Oct, 10-20 DAS, Lady Lisa. CTD profiler......... 60 casts.
and 34[deg] N, but day operations only.
mostly off GA and *Halted in 2012 but
SC). Sampling occurs will resume annually
in Federal waters. if funding obtained.
Depths from ~500 to
860 ft.
MARMAP/SEAMAP-SA Reef Fish Survey, South Atlantic Bight Annually, year-round USCG R/V: R/V Chevron fish trap 600 sets.
(SCDNR) \1\ * Inactive 2012-2014. (between 27[deg] N but primarily Apr- Palmetto. outfitted with two 60 sets.
and 34[deg] N). Oct, 70-120 DAS, day cameras. 400 sets.
operations only. Bottom longline...... 300 casts.
Bandit reels.........
CTD profiler.........
[[Page 27034]]
Pelagic Longline Survey-SA, (SEFSC) Cape Hatteras, NC to Intermittent, Feb-May, USCG R/V: R/V Oregon Pelagic Longline..... 100-125 sets.
\1\. Cape Canaveral, FL. 30 DAS, 24 hour II. CTD profiler......... 100-125 casts.
(See also effort conducted in the operations (set/haul
GOMRA). anytime day or night).
Shark and Red Snapper Bottom Cape Hatteras, NC to Annually, July-Sep, 60 USCG Class III: R/V Bottom longline...... 70 sets.
Longline Survey-SA, (SEFSC) \1\. Cape Canaveral, FL DAS, 24 hour Caretta. CTD profiler and 70 casts.
(See also effort conducted in the between bottom depths operations (set/haul USCG R/V: R/V Oregon rosette water 0-20 tows.
GOMRA). 9-183 m. anytime day or night). II, R/V Gordon sampler.
Gunter. Neuston and bongo
effort if needed to
augment SEAMAP
plankton objectives.
SEAMAP-SA Red Drum Bottom Longline NC: Pamlico Sound or Annually.............. USCG Class II: 26 ft Bottom longline...... NC: 75-100 sets
Survey, (NCDEQ, SCDNR, GDNR) \1\. in the nearshore NC: mid-July to mid- outboard. YSI (Dissolved total.
waters of Ocracoke Oct (2 days/week for USCG Class III: R/V oxygen, salinity, SC: 360 sets.
Inlet. 12 weeks), 24 DAS, 12 Marguerite,R/V temperature). GA: 200-275 sets.
SC: Estuaries out to hour operations, Silver Crescent. NC: 75-100 casts.
10 miles in Winyah beginning at dusk. SC: 360 casts.
Bay, Charleston GA: 200-275 casts.
Harbor, St. Helena
Sound, and Port Royal
Sound.
GA: State and Federal SC: Aug-Dec, day
waters off the coast operations only.
of GA and NE FL, 36 DAS................
(~32[deg]05' N GA: Apr-Dec (6 days/
latitude to the month), 54 DAS, day
north, 29[deg]20' N operations only.
latitude to the
south, 80[deg]30' W
longitude to the
east, and the
coastline to the
west).
ACFCMA Ecological Monitoring Trawl Georgia state waters Annually, Jan-Dec (7 USCG Class III: R/V Otter trawl.......... 42 trawls/month, 504
Survey, (GDNR) \1\. out to 3 nm, 10-35 ft days/month), 84 DAS, Anna. YSI 85 (Dissolved trawls total.
depths. day operations only. oxygen, salinity, 504 casts total.
temperature).
ACFCMA Juvenile Stage Trawl Survey, Creeks and rivers of Annually, Dec-Jan (3 USCG Class I: 19 ft Otter trawl.......... 18 trawls/month, 216
(GDNR) \1\. three Georgia sound days/month), 36 DAS, Cape Horn; 25 ft YSI 85 (Dissolved trawls total.
systems (Ossabaw, day operations only. Parker. oxygen, salinity, 216 casts total.
Altamaha, and St. temperature).
Andrew).
Atlantic Striped Bass Tagging North of Cape Annually, Jan-Feb, 14 USCG R/V: R/V Oregon 65 ft high-opening 200-350 trawls.
Bottom Trawl Survey, (USFWS) \1\. Hatteras, NC, in DAS, 24 hour II, R/V Cape bottom trawls.
state and Federal operations (set/haul Hatteras, R/V
waters, 30-120 ft anytime day or night). Savannah.
depths.
Juvenile Sport Fish Trawl Florida Bay, FL....... Annually, May-Nov, 35 USCG Class I: R/V Otter trawl.......... ~500 trawls.
Monitoring in Florida Bay, (SEFSC) DAS, day operations Batou.
\1\. only.
Oceanic Deep-water Trawl Survey Southeastern U.S. Intermittent due to USCG R/V: NOAA ships. High Speed Midwater 60 trawls (2-3 per
(SEFSC) \1\ * Currently Inactive. Atlantic waters >500 funding, 20 DAS, 24 Trawl, Aleutian Wing day).
m deep. hour operations Trawl. 60 casts.
(trawls may be set CTD profiler and
and retrieved day or rosette water
night). sampler.
* conducted as funding
allows.
SEAMAP-SA NC Pamlico Sound Trawl Pamlico Sound and the Annually, June & Sep, USCG Class III: R/V Otter trawl: Paired 54 trawls each month,
Survey, (NCDENR) \1\. Pamlico, Pungo, and 20 DAS (10 days/ Carolina Coast. mongoose-type Falcon 108 trawls total.
Neuse rivers in month), day bottom trawls. 54 casts each month,
waters >=6 ft deep. operations only. Ponar grab........... 108 total.
YSI 556 (Dissolved 54 casts each month,
oxygen, salinity, 108 total.
temperature).
Secchi disk.......... 54 casts each month,
108 total.
SEAMAP-SA Coastal Trawl Survey, Cape Hatteras, NC to Annually, Apr-May USCG Small R/V: R/V Otter trawl: Paired 300-350 trawls total,
(SCDNR) \1\. Cape Canaveral, FL in (spring), July-Aug Lady Lisa. mongoose-type Falcon evenly divided
nearshore oceanic (summer), and Oct-Nov bottom trawls. between seasons.
waters of 15-30 ft (fall), 60-65 DAS,
depth. day operations only.
SEABIRD electronic 300-350 casts.
CTD.
SEFSC-SA TED Evaluations, (SEFSC) State and Federal Annually, Nov-Apr, 10 USCG Class III: R/V Otter trawl: Mongoose 50 paired trawls.
\1\. waters off Georgia DAS, 24 hour Georgia Bulldog. shrimp trawls.
and eastern FL. operations--set/haul
anytime day or night.
In-Water Sea Turtle Research Winyah Bay, SC to St. Annually, mid-May USCG Class III: R/V Paired flat net 400-450 trawls.
(SCDNR) \1\. Augustine, FL in through late Jul to Georgia Bulldog. bottom trawls (NMFS
water depths of 15-45 early Aug, 24-30 DAS, USCG Small R/V: R/V Turtle Nets per
ft. day operations only. Lady Lisa. Dickerson et al.
1995) with tickler
chains.
[[Page 27035]]
ACFCMA American Eel Pot Survey for Georgia state waters Annually. Sampling USCG Class I: 19 ft Eel traps/pots with 30 stations (180 sets/
Yellow-phase Eels, (GADNR). in the Altamaha River monthly Nov-Apr. Cape Horn, 18 ft float. month; 30 traps set
System. Sampling is based on water temp. skiff. each of 6 days).
conducted during 36 DAS (6 days/
daylight hours. Depth month), day
ranges from 2 to 20 operations only.
ft.
Beaufort Bridgenet Plankton Survey, Pivers Island Bridge, Annually, Nov-May None................. Plankton net......... 125 tows.
(SEFSC). NOAA Beaufort (some years monthly
facility, Beaufort, Jan-Dec), night
NC. operations only
sampling occurs once
per week, n+4 tows
per night.
Integrated Biscayne Bay Ecological Western shoreline of Twice annually, May- USCG Class II & III Human divers......... 100 dives.
Assessment and Monitoring Project Biscayne Bay, FL. Oct (wet season) and vessels. Throw trap........... 372 casts.
(IBBEAM) Project, (SEFSC). Nov-Apr (dry season),
14 DAS, day
operations only.
Intraspecific Diversity in Pink Florida Bay, Annually, June-Aug, 16 USCG Class I: R/V Miniature roller- 40 trawls.
Shrimp Survey, (SEFSC) * Currently Whitewater Bay, DAS, day operations Privateer. frame trawl. 40 samples.
inactive. Fakahatchee Bay, only. Dip net.............. 40 sets.
Biscayne Bay, Sanibel Bag seine............
shrimp fishery,
Tortugas shrimp
fishery.
Marine Mammal and Ecosystem Southeastern U.S. Every three years, USCG R/V: R/V Gordon CTD profiler and 60 casts.
Assessment Survey-SA (SEFSC) \1\. Atlantic. June-Sep, 60 DAS, 24 Gunter. rosette water 300 units.
hour operations. sampler.
Expendable bathy-
thermographs.
Acoustic Doppler Continuous.
Current Profiler.
Simrad ME70 Multi- Continuous.
Beam echosounder.
EK60 Multi-frequency Continuous.
single-beam active
acoustics.
Passive acoustic Continuous.
arrays.
RecFIN Red Drum Electrofishing Coastal estuaries and Annually, Jan-Dec, 60- USCG Class I: Small 18 ft elecrofishing 360 stations per year
Survey, (SCDNR). rivers of SC in 72 DAS (5-6 days/ vessels. boat. (30 sites/month).
depths of 6 ft or month), day
less in low salinity operations only.
waters (0-12 ppt).
St. Lucie Rod-and-Reel Fish Health Nearshore reef, inlet, Annually, Jan-Dec, USCG Class I: Small Rod and reel gear.... 468 stations per
Study, (SEFSC) \1\ * Currently and estuary of St. weekly, 156 DAS, day vessels. year: 3/day x 3 day/
inactive. Lucie River, FL inlet operations only. wk.
system (Jupiter or
Ft. Pierce, FL).
SEAMAP-SA Gag Ingress Study, In the vicinity of Annually, Mar-June, USCG Class I: Small Witham collectors.... 15 sets (4 collectors
(SCDNR) * Inactive since 2016. Swansboro, NC; 100 DAS, day vessels. at each set), 60
Wilmington, NC; operations only. sets total.
Georgetown, SC;
Charleston, SC;
Beaufort, SC;
Savannah, GA; and
Brunswick, GA.
Southeast Fishery Independent Cape Hatteras, NC, to Annually, Apr-Oct, 30- USCG R/V: R/V Nancy Chevron fish trap 1,000 deployments.
Survey (SEFIS) (SEFSC) \1\. St. Lucie Inlet, FL. 80 DAS, 24 hour Foster, R/V Pisces, outfitted with 2 .....................
Fifteen survey operations (cameras & R/V Savannah. high-definition .....................
stations occur within traps--daytime video cameras.. 100-200 casts.
Gray's Reef NMS. operations, CTD profiler......... Continuous.
acoustics--anytime Simrad ME70 Multi-
day or night). Beam echosounder.
Multi-frequency Continuous.
single-beam active
acoustics.
U.S. South Atlantic MPA Survey, Jacksonville, FL to Annually, May-Aug, 14 USCG R/V: R/V Pisces, ROV Phantom S2 10-40 deployments.
(SEFSC) \1\. Cape Fear, NC on or DAS, 24 hour R/V Nancy Foster, R/ vehicle with tether .....................
near the continental operations (ROV V Spree. attached to CTD .....................
shelf edge at depths daytime operations, cable. 28 casts.
between 80 and 600 m. acoustics--anytime CTD profiler......... Every other night for
day or night). Simrad ME70 Multi- 6-12 hrs.
Beam echosounder.
EK60 Multi-frequency Every other night for
single-beam active 6-12 hrs.
acoustics.
FL/Dry Tortugas Coral Reef Benthic Survey area Quarterly-annually, USCG Class I & II: SCUBA divers with 300 dives.
Survey, (SEFSC). encompasses Federal May-Oct, 100 DAS. Small vessels. measuring devices,
and territorial cameras, and hand
waters from Dry tools.
Tortugas to Martin
County, FL. Surveys
occur within the
Florida Keys NMS (150
stations).
[[Page 27036]]
Demographic Monitoring of Acropora Florida Keys National 3 x per year, ~35 DAS. USCG Class I......... SCUBA divers......... 30 fixed plots.
Species, (SEFSC). Marine Sanctuary.
Reef Fish Visual Census Survey-- Florida Keys NMS and Annually, May-Sep, 25 USCG Class I: R/V SCUBA divers with 300 dives.
Florida Keys/SE Florida Shelf, SE Florida Shelf, <33 DAS, day operations Aldo Leopold. meter sticks, 30 cm
(SEFSC). m deep. only. rule and digital
camera.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Caribbean Research Area
--------------------------------------------------------------------------------------------------------------------------------------------------------
Caribbean Plankton Recruitment Caribbean and Mexican Bi-annually, Feb or USCG R/V: R/V Gordon Bongo net............ 75 tows.
Experiment, (SEFSC). waters. June, 15 DAS, 24 hour Gunter, R/V Nancy MOCNESS.............. 75 tows.
operations, anytime Foster. CTD profiler and 75 casts.
day or night. rosette water
sampler.
Caribbean Reef Fish Survey, (SEFSC) PR and USVI, Every two years, Mar- USCG R/V: R/V Pisces, Bandit Reels......... 300 sets.
\1\. continental shelf June, 40 DAS, 24 hour R/V Oregon II. 4-camera array....... 150 deployments.
waters. operations. Chevron traps........ 100 sets.
CTD profiler......... 300 casts.
Simrad ME70 Multi- Continuous.
Beam echosounder.
Acoustic Doppler Continuous.
Current Profiler.
EK60 Multi-frequency Continuous.
single-beam active
acoustics.
Marine Mammal and Ecosystem U.S. Caribbean Sea.... Every three years, USCG R/V: R/V Gordon CTD profiler and 60 casts.
Assessment Survey-C, (SEFSC) \1\. June-Sep, 60 DAS, 24 Gunter. rosette water .....................
hour operations- sampler. .....................
acoustics-anytime day Expendable bathy- 300 units.
or night. thermographs. Continuous.
Acoustic Doppler
Current Profiler.
Simrad ME70 Multi- Continuous.
Beam echosounder.
EK60 Multi-frequency Continuous.
single-beam active
acoustics.
Passive acoustic Continuous.
arrays.
SEAMAP-C Reef Fish Survey (PR-DNER, USVI and PR Annually, Jan-Dec, USCG Class I & III: Camera array--two PR: 120 per coast
USVI-DFW). territorial and (Day operations only). Three chartered GoPro cameras and total of 240.
* Began 2017....................... Federal waters at 15- PR: 70 DAS for each vessels. four lasers set on USVI: 72 per island,
300 ft depths. coast. an aluminum frame. 144 total.
USVI: ~30 DAS.........
SEAMAP-C Lane Snapper Bottom East, west, and south Annually beginning USCG Class III: Two Bottom longline...... 45 sets/season, 180
Longline Survey, (PR-DNER) \1\. coasts of PR in July 2015, (summer, chartered vessels. sets total.
territorial and winter, fall,
Federal waters at spring), 120 DAS (30
depths ranging from days/season), night
15-300 ft. operations only.
SEAMAP-C Yellowtail Snapper Rod-and- East, west, and south Annually beginning USCG Class I & III: Rod-and-reel gear.... 120 stations (360
Reel Survey, (PR-DNER) \1\. coasts of PR in 2014, (4 sampling Three chartered lines total).
territorial and seasons), 120 DAS, vessels.
Federal waters at night operations only.
depths ranging from
15-300 ft.
Caribbean Coral Reef Benthic Federal and Annual to triennial, USCG Class I & II: SCUBA divers with 300 dives.
Survey, (SEFSC). territorial waters May-Oct, 30 DAS, day Small vessel <28 ft. measuring devices
around PR, USVI, and operations only. and hand tools.
Navassa.
Reef Fish Visual Census Survey-U.S. PR and USVI waters < Annually, May-Sept, 25 USCG Class I & II: SCUBA divers with 300 dives.
Caribbean, (SEFSC). 100 ft deep. DAS, day operations Small vessel <24 ft. meter sticks, 30 cm
only. rule and digital
camera.
SEAMAP-C Queen Conch Visual Survey, PR and USVI Annually,............. USCG Class I & SCUBA divers, SCUBA PR: 100 dives
(PR-DNER, USVI-DFW). territorial waters in PR: July-Nov, 35 DAS.. III:Three chartered gear and underwater USVI: 62 dives.
10-90 ft depths, some USVI: June-Oct, 62 vessels. scooters.
sampling occurs in DAS, day operation
Federal waters. only.
SEAMAP-C Spiny Lobster Post Larvae PR territorial waters Every four years...... USCG Class I & III: Fifty-six modified 6 stations along the
Settlement Surveys, (PR-DNER). in 6-90 ft depths. West cost of PR: Jan- Three chartered Witham pueruli west coast platform
Dec, 84 DAS. vessels. collectors. per depth and
R/V Erdman........... distance from the
shoreline.
SEAMAP-C Spiny Lobster Artificial PR and USVI Annually,............. USCG Class I & Juvenile lobster 10 shelters,
Habitat Survey, (PR-DNER, USVI- territorial waters in PR: Jan-Dec, 84 DAS... III:Three chartered artificial shelters. continuous
DFW). 6-90 ft depths. USVI: Jan-Dec, 20 DAS, vessels. SCUBA divers, SCUBA deployment.
day operations only. gear and underwater PR: 60 dives
scooters. USVI: 20 dives.
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ These surveys have the potential to take marine mammals through M/SI and/or Level B harassment.
* Inactive projects are currently not conducted but could resume if funds became available.
[[Page 27037]]
Description of Fishing Gear--A complete description of fishery-
independent survey gear and vessels used by the SEFSC is provided in
the proposed rule (84 FR 6576, February 27, 2019) and Appendix A of the
PEA. We refer the reader to those documents for a detailed description
of gear and fishing methods.
Description of Active Acoustic Sound Sources--A wide range of
active acoustic devices are used in SEFSC fisheries surveys for
remotely sensing bathymetric, oceanographic, and biological features of
the environment. A complete description of acoustic sources used by the
SEFSC is provided in the proposed rule (84 FR 6576, February 27, 2019)
and the PEA. We refer the reader to those documents for a detailed
description of gear, fishing methods, and acoustic source
characteristics. A summary table of source operational parameters is
below (Table 2).
Table 2--Operating Characteristics of SEFSC Active Acoustic Sources
----------------------------------------------------------------------------------------------------------------
Effective
Maximum source Effective exposure area:
Operating level (dB re: exposure area: Sea surface to
Active acoustic system frequencies 1[micro]Pa @1 Nominal beamwidth Sea surface to 160 dB
(kHz) m) 200 m depth threshold
(km\2\) depth (km\2\)
----------------------------------------------------------------------------------------------------------------
Simrad EK60 narrow beam 18, 38, 70, 224 11[deg] @18 kHz... 0.0142 0.1411
echosounder. 120, * 200, * 7[deg] @38 kHz....
333
Simrad ME70 multibeam 70-120 205 140[deg].......... 0.0201 0.0201
echosounder.
Teledyne RD Instruments 75 223.6 N/A............... 0.0086 0.0187
ADCP, Ocean Surveyor.
Simrad EQ50................. 50, * 200 210 16 @50kHz......... 0.0075 0.008
7 @200kHz.........
Simrad ITI Trawl Monitoring 27-33 <200 40[deg] x 100[deg] 0.0032 0.0032
System.
----------------------------------------------------------------------------------------------------------------
* Devices working at this frequency is outside of known marine mammal hearing range and is not considered to
have the potential to result in marine mammal harassment.
Comments and Responses
NMFS published a notice of proposed rulemaking in the Federal
Register on February 27, 2019 (84 FR 6576) and requested comments and
information from the public. During the 30-day public comment period,
we received letters from the Marine Mammal Commission (Commission) and
comments from four public citizens. We provide a summary of the
comments and our full responses here and have posted the public
comments on our website: https://www.fisheries.noaa.gov/permit/incidental-take-authorizations-under-marine-mammal-protection-act and
on the Federal e-Rulemaking Portal at www.regulations.gov (enter 0648-
BG44 in the ``Search'' box and scroll down to the Comments section).
Comment 1: The Commission recommends that NMFS revise Table 3a in
the Federal Register notice to include fin, sei, and Bryde's whales as
marine mammals that potentially occur in the CRA and revise its
analyses and take estimates as necessary.
NMFS Response: Fin, sei and Bryde's whales are extralimital or
rarely sighted in the CRA. While Bryde's whales routinely occur in the
southern Caribbean off (e.g., off the coast of Venezuela), they are
rare in the SEFSC's CRA in the northern Caribbean. There is one record
from Puerto Rico (Mignucci-Giannoni et al. 1998) and one from Cuba
(Whitt et al. 2011). The Commission cited Erdman et al., 1973 and Ward
et al., 2001 when claiming Bryde's whales also have been observed in
waters off Puerto Rico and the U.S. Virgin Islands and generally occur
in nearshore and shelf edge waters. However, both NMFS and the SEFSC
reviewed the referenced documents and cannot find this information.
Whitt et al. (2011) confirmed one (likely extralimital) northeastern
Caribbean stranding record from the Dominican Republic in July 1974
(Mead, 1977). Sightings designated as sei whales in the northeastern
Caribbean (Erdman, 1970; Erdman et al., 1973; Mignucci-Giannoni, 1989)
are not confirmed records. Neither photos nor clear diagnostic features
were provided for these unconfirmed records; the species identification
was based on behavioral characteristics. Likewise, there are no
confirmed records of sei whales in Cuban waters. There is also no
indication that fin whales are not rare in the CRA. Based on this
review, NMFS determined the Commission's recommendation was not
supported and we did not include take of fin, sei, and Bryde's whales
in the final rule.
Comment 2: The Commission provides general recommendations--not
specific to the proposed SEFSC rulemaking--that NMFS provide interim
guidance based on various criteria (e.g., source level, peak frequency,
bandwidth, signal duration and duty cycle, affected species or stocks)
for determining when prospective applicants should request taking by
Level B harassment resulting from the use of echosounders, other
sonars, and subbottom profilers.
NMFS Response: NMFS is currently in the process of developing
guidance to assist potential applicants in assessing whether a take is
likely to result from particular activities. In the meanwhile, we
provide assistance and guidance as requested to interested parties on a
case-by-case basis.
Comment 3: The Commission recommends that NMFS require SEFSC to
estimate the numbers of marine mammals taken by Level B harassment
incidental to the use of active acoustic sources (e.g., echosounders)
based on the 120-decibel (dB) rather than the 160-dB root mean square
(rms) sound pressure level (SPL) threshold. They alternatively suggest
that NMFS require the SEFSC to estimate take based on acoustic
thresholds developed by the U.S. Navy, including the Navy's unweighted
120 dB re 1 [mu]Pa threshold for harbor porpoises and the various
biphasic dose response functions for the other marine mammal species.
Response: The Commission repeats a recommendation made in prior
letters concerning the proposed authorization of take incidental to use
of scientific sonars (such as echosounders). As we have described in
responding to those prior comments (e.g., 83 FR 36370), our evaluation
of the available information leads us to disagree with this
recommendation. We provide a full
[[Page 27038]]
response to this comment in our notice of issuance of an IHA to Alaska
Fisheries Science Center Final Rule (84 FR 46788, September 5, 2019)
with a summary here. First, the Commission misinterprets how NMFS
characterizes scientific sonars and claims that we are using an
incorrect threshold because scientific sonars do not produce impulse
noise. Sound sources can be divided into broad categories based on
various criteria or for various purposes. As discussed by Richardson et
al. (1995), source characteristics include strength of signal
amplitude, distribution of sound frequency and, importantly in context
of these thresholds, variability over time. With regard to temporal
properties, sounds are generally considered to be either continuous or
transient (i.e., intermittent). Continuous sounds, which are produced
by the industrial noise sources for which the 120-dB behavioral
harassment threshold was selected, are simply those whose sound
pressure level remains above ambient sound during the observation
period (ANSI, 2005). Intermittent sounds are defined as sounds with
interrupted levels of low or no sound (NIOSH, 1998). Simply put, a
continuous noise source produces a signal that continues over time,
while an intermittent source produces signals of relatively short
duration having an obvious start and end with predictable patterns of
bursts of sound and silent periods (i.e., duty cycle) (Richardson and
Malme, 1993). It is this fundamental temporal distinction that is most
important for categorizing sound types in terms of their potential to
cause a behavioral response.
The Commission relies heavily on the use of examples pertaining to
the most sensitive species, which does not support an argument that the
120-dB threshold should be applied to all species. NMFS has
acknowledged that the scientific evidence indicates that certain
species are, in general, more acoustically sensitive than others. In
particular, harbor porpoise and beaked whales are considered to be
behaviorally sensitive, and it may be appropriate to consider use of
lower behavioral harassment thresholds for these species. NMFS is
considering this issue in its current work of developing new guidelines
for assessing behavioral harassment. However, until this work is
completed and new guidelines are identified (if appropriate), the
existing generic thresholds are retained. Moreover, as is discussed
above for other reasons, the majority of examples cited by the
Commission are of limited relevance in terms of comparison of sound
sources. In support of their statement that numerous researchers have
observed marine mammals responding to sound from sources claimed to be
similar to those considered herein, the Commission indeed cites
numerous studies. However, the vast majority of these address responses
of harbor porpoise or beaked whales to various types of acoustic alarms
or deterrent devices.
With respect to the Commission's recommendation that the SEFSC
adopt the Navy's dose-response models to estimate take, we find several
reasons why this suggestion should not be implemented. First, the data
on which the Navy's dose-response curves are based are primarily from
marine mammal exposure to military tactical sonar, a source not
relevant to the SEFSC. Second, for reasons referenced above, we do not
agree that a 120 dB threshold is appropriate, especially the step-
function created for harbor porpoise considering that this species is
non-existent in the GOMRI and CRA and limited in the ARA. Lastly, NMFS
does not require applicants to adopt another applicant's model,
especially complex biphastic models, when the proposed take estimate
approach is appropriate, which it was in this case. Therefore, NMFS did
not adopt the Navy's dose-response model to estimate take.
Finally, we acknowledge that the Commission presents legitimate
points in support of defining a threshold specific to non-impulsive,
intermittent sources and that, among the large number of cited studies,
there are a few that show relevant results of individual animals
responding to exposure at lower received levels in ways that could be
considered harassment. As noted in a previous comment response, NMFS is
currently engaged in an ongoing effort towards developing updated
guidance regarding the effects of anthropogenic sound on marine mammal
behavior. However, prior to conclusion of this effort, NMFS will
continue using the historical Level B harassment thresholds (or
derivations thereof) and will appropriately evaluate behavioral
harassment due to intermittent sound sources relative to the 160-dB
threshold.
Comment 4: The Commission notes that NMFS has delineated two
categories of acoustic sources, largely based on frequency, with those
sources operating at frequencies greater than the known hearing ranges
of any marine mammal (i.e., >180 kilohertz (kHz)) lacking the potential
to disturb marine mammals by causing disruption of behavioral patterns.
The Commission describes the recent scientific literature on acoustic
sources with frequencies above 180 kHz (i.e., Deng et al., 2014; Hastie
et al., 2014) and recommends that we estimate numbers of takes
associated with those acoustic sources (or similar acoustic sources)
with frequencies above 180 kHz that have been shown to elicit
behavioral responses above the 120-dB threshold.
Response: As the Commission acknowledges, we considered the cited
information in our Notice of Proposed Rulemaking. NMFS' response
regarding the appropriateness of the 120-dB versus 160-dB rms
thresholds was provided above in the response to Comment #3. In
general, the referenced literature indicates only that sub-harmonics
could be detectable by certain species at distances up to several
hundred meters. As we have noted in previous responses, behavioral
response to a stimulus does not necessarily indicate that Level B
harassment, as defined by the MMPA, has occurred. Source levels of the
secondary peaks considered in these studies--those within the hearing
range of some marine mammals--mean that these sub-harmonics would
either be below the threshold for Level B harassment or would attenuate
to such a level within a few meters. Beyond these important study
details, these high-frequency (i.e., Category 1) sources and any energy
they may produce below the primary frequency that could be audible to
marine mammals would be dominated by a few primary sources (e.g., EK60)
that are operated near-continuously--much like other Category 2 sources
considered in our assessment of potential incidental take from SEFSC's
use of active acoustic sources--and the potential range above threshold
would be so small as to essentially discount them. Further, recent
sound source verification testing of these and other similar systems
did not observe any sub-harmonics in any of the systems tested under
controlled conditions (Crocker and Fratantonio, 2016). While this can
occur during actual operations, the phenomenon may be the result of
issues with the system or its installation on a vessel rather than an
issue that is inherent to the output of the system. There is no
evidence to suggest that Level B harassment of marine mammals should be
expected in relation to use of active acoustic sources at frequencies
exceeding 180 kHz.
Comment 5: The Commission recommended that, in the preamble to the
final rule, NMFS (1) specify in Table 11 which species were lacking
density data and clarify whether densities were available for blue,
sei, and killer whales in ARA and humpback and minke
[[Page 27039]]
whales in the GOMRA and (2) ensure Tables 13 and 18 include all species
and stocks proposed to be taken by SEFSC's proposed activities. The
Commission understands that NMFS did not intentionally omit this
information.
NMFS Response: Species for which density data are not available
were included in a footnote in Table 11 in the proposed rule. However,
NMFS has updated that footnote to include blue whales, sei whales, and
killer whales in the ARA and humpback whales and minke whales in the
GOMRA. NMFS also updated the relevant tables in this final rule to
ensure all species for which take is authorized are included in both
tables. While these changes provide clarity, NMFS did not change
species taken or amount of take from the proposed rule. Therefore,
there is no modification to our analysis or determinations.
Comment 6: The Commission recommends that NMFS ensure that the
final rule includes details similar to those specified in the preamble
for the various mitigation, monitoring, and reporting measures.
NMFS Response: NMFS has included all the mitigation, monitoring and
reporting measures in the regulatory text as discussed in the preamble
in this final rule.
Comment 7: The Commission recommends that NMFS authorize taking by
M/SI only for those stocks for which a negligible impact determination
can be made when looking at overall removals from each stock as a
whole. The Commission is concerned that it appears that removal of an
animal from some bottlenose dolphin stocks meet or exceed PBR and that
any additional mortalities from those stocks should not be considered
as having negligible impact. Specifically, the Commission indicates the
proposed number of takes that could result in M/SI for SEFSC would not
equal or exceed PBR for most stocks. However, the proposed takes by M/
SI for SEFSC would equal PBR for the Northern South Carolina Estuarine
(NSCE) stock of bottlenose dolphins and would exceed PBR for the Mobile
Bay, Bonsecour Bay (Mobile Bay) stock and the MS Sound stock. Although
NMFS proposed to authorize the taking by M/SI of only one bottlenose
dolphin during the proposed 5-year period (or 0.2 dolphins per year)
from each of the three stocks, when considered in light of other known
causes of mortality, PBR would either be met or exceeded.
NMFS Response: The Commission appears to assert that NMFS cannot
make a negligible impact determination when the proposed or authorized
M/SI take from a marine mammal stock, when considered in light of other
known causes of mortality, meets or exceeds PBR. As described in more
detail in the Negligible Impact Analysis and Determination section
later in this document, consistent with the interpretation of PBR
across the rest of the agency, NMFS' Permits and Conservation Division
has been using PBR as a tool to inform the negligible impact analysis
under section 101(a)(5)(A), recognizing that it is not a dispositive
threshold that automatically determines whether a given amount of M/SI
either does or does not exceed a negligible impact on the affected
species or stock. In 1999, NMFS published criteria for making a
negligible impact determination pursuant to section 101(a)(5)(E) of the
MMPA in a notice of proposed permits for certain fisheries (64 FR
28800; May 27, 1999). Criterion 2 stated ``If total human-related
serious injuries and mortalities are greater than PBR, and fisheries-
related mortality is less than 0.1 PBR, individual fisheries may be
permitted if management measures are being taken to address non-
fisheries-related serious injuries and mortalities. When fisheries-
related serious injury and mortality is less than 10 percent of the
total, the appropriate management action is to address components that
account for the major portion of the total.'' This criterion addresses
when total human-caused mortality is exceeding PBR, but the activity
being assessed is responsible for only a small portion of the
mortality. Accordingly, we applied a similar criterion in our
negligible impact analysis under section 101(a)(5)(A) to evaluate the
relative role of an applicant's incidental take when other sources of
take are causing PBR to be exceeded, but the take of the specified
activity is comparatively small. Where this occurs, we may find that
the impacts of the taking from the specified activity may (those
impacts alone, before we have considered the combined effects from any
harassment take) be negligible even when total human-caused mortality
from all activities exceeds PBR if (in the context of a particular
species or stock) the authorized mortality or serious injury would be
less than or equal to 10 percent of PBR and management measures are
being taken to address serious injuries and mortalities from the other
activities (i.e., other than the specified activities covered by the
incidental take authorization under consideration). Here, pursuant to
the criteria, the authorized mortality or serious injury would be less
than or equal to 10 percent of PBR, and management measures are being
taken to address serious injuries and mortalities from the other
activities (i.e., other than the specified activities covered by the
incidental take authorization under consideration). We must also
determine, though, that impacts on the species or stock from other
types of take (i.e., harassment) caused by the applicant do not combine
with the impacts from mortality or serious injury to result in adverse
effects on the species or stock through effects on annual rates of
recruitment or survival. Wade et al. (1998), authors of the paper from
which the current PBR equation is derived, note that ``Estimating
incidental mortality in one year to be greater than the PBR calculated
from a single abundance survey does not prove the mortality will lead
to depletion; it identifies a population worthy of careful future
monitoring and possibly indicates that mortality-mitigation efforts
should be initiated.''
In addition to a quantitative approach comparing the issued M/SI
against PBR, a number of other factors influence our negligible impact
determination. These are described in detail in our Negligible Impact
Analysis and Determination section below, but we also summarize them
here. First, the amount of M/SI take authorized for estuarine
bottlenose dolphins stocks is the lowest amount possible (one over 5
years). Therefore, in 4 of those 5 years, no effect to rates of
recruitment or survival would occur. Second, literature suggests the
interaction with fishing gear (including trawls which account for the
majority of SEFSC fisheries research) is biased towards males. The loss
of a male from the population is less likely, if at all, to have an
effect on population rates of recruitment or survival. Third, there are
a number of ongoing management actions, including development and
implementation of a Gulf-wide strategic framework to restore for
injuries associated with the Deepwater Horizon (DWH) oil spill under a
Natural Resource Damage Assessment (NRDA). This framework is designed
to reduce human-induced causes of mortality and serious injury other
than SEFSC fisheries research over the 5 years the LOA would be
effective.
Comment 8: One commenter noted the SEFSC has taken substantial
measures to minimize the impacts on marine mammals. However, the
commenter recommended prohibiting long-lining, trawling, or gill
netting due to the associated high bycatch rates and the impacts of
these fishing methods on cetacean populations. The commenter
recommended strict monitoring
[[Page 27040]]
protocols and that the SEFSC use active acoustics (i.e., sonar) and
other detection methods to ensure the avoidance of taking marine
mammals.
NMFS Response: Issuance of an incidental take authorization allows
for the taking of marine mammals incidental to a specified activity, it
does not authorize or permit the activity itself. Therefore NMFS cannot
require an applicant to not conduct an activity. To issue an
authorization, NMFS must prescribe, among other things, mitigation and
monitoring measures effecting the least practicable adverse impact on a
species or stock. In this case, the commenter agrees NMFS has taken
substantial measures to minimize impacts on marine mammals. However, to
restrict fishing using the proposed methods would be impracticable and
outside of NMFS' authority under the MMPA.
Regarding impacts to cetacean populations, the commenter appears to
be associating bycatch rates of commercial fisheries to those from
research surveys. As described in the proposed rule, the taking of
marine mammals incidental to SEFSC fisheries research is very low and
NMFS has authorized only one marine mammal mortality per stock over the
course of 5 years (with the exception of coastal bottlenose dolphins
wherein we are authorizing the take, by serious injury or mortality, of
three animals over 5 years) in its final rule. The rule also has a
suite of mitigation and monitoring measures designed to further reduce
risk of netting or hooking an animal. The rule does not require SEFSC
use active acoustics to detect and deter marine mammals, as use of
those sources in that manner would be a source of harassment in itself.
Comment 9: One commenter suggested the lack of acknowledgement
towards the plankton populations is capricious and recommended an
environmental assessment be completed.
NMFS Response: All impacts from the SEFSC's fishery-independent
research activities, including those on plankton, have been analyzed in
a PEA which was made available to the public for comment on April 20,
2016 and finalized prior to issuing this rule. See ADDRESSES section.
As described in those documents, the SEFSC's primary survey methods use
fishing gear to capture fish and invertebrates for stock assessment or
other research purposes. However, some collection of plankton and
oceanographic and acoustic data to characterize the marine environment
does occur. As described in the SEFSC's application, proposed rule, and
LOA, plankton is sampled in very small quantities, is minor relative to
that taken through commercial fisheries, and is an even smaller
percentage of total biomass available as marine mammal prey.
Comment 10: One commenter was concerned the proposed rule would
result in fish catch limits.
NMFS Response: This rule, issued pursuant to the MMPA, has no
connection to the Magnuson-Stevens Fishery Management Act process by
which fish limits are determined.
Comment 11: One commenter believed the major provisions in the
proposed regulation seem adequate and that the regulations can be
implemented well and with no complications.
NMFS Response: NMFS agrees that all practicable mitigation measures
have been incorporated into the proposed rule and will continue to work
with the SEFSC to ensure the SEFSC and all partners are aware of and
understand the monitoring, mitigation, and reporting measures.
Changes From Proposed to Final Rule
The most substantive change from the proposed to final rule is the
baseline evaluation of the Mobile Bay stock of bottlenose dolphins. In
the proposed rule, NMFS used outdated (1992) survey data which
indicated the Mobile Bay stock abundance was approximately 122
dolphins. However, we determined a more accurate representative
abundance estimate is 1,393 based on more recent DWH oil spill injury
assessments (DHW MMIQT, 2015). We also updated the final regulations to
reflect the entirety of the mitigation, monitoring, and reporting
measures described in the preamble of the proposed rule as some were
inadvertently not replicated in the regulatory text. We also updated a
discussion regarding the consideration of PBR in our negligible impact
determination to more fully reflect how the metric is appropriately
considered in the negligible impacts determination for a specified
activity. We also updated a previous dolphin gear interaction table and
related discussion to reflect the entanglement of a single bottlenose
dolphin on October 13, 2019, by the South Carolina Department of
Natural Resources (SCDNR). None of these modifications affect our
negligible impact or small numbers determinations.
Description of Marine Mammals in the Area of the Specified Activity
We presented a detailed discussion of marine mammals, their
occurrence, and important habitat (e.g., Biologically Important Areas)
in the planned action area detailed in the Federal Register notice of
proposed rulemaking (84 FR 6576; February 27, 2019). Please see that
notice of proposed rulemaking or the SEFSC's application for more
information (see ADDRESSES). We provide a summary of marine mammal
occurrence in the study areas in Table 3.
Species that could occur in a given research area but are not
expected to have the potential for interaction with SEFSC research gear
or that are not likely to be harassed by SEFSC's use of active acoustic
devices are listed here but omitted from further analysis. These
include extralimital species, which are species that do not normally
occur in a given area but for which there are one or more occurrence
records that are considered beyond the normal range of the species.
Extralimital or rarely sighted species within the SEFSC's ARA include
the North Atlantic bottlenose whale (Hyperoodon ampullatus), Bryde's
whale (B. edeni), Atlantic white-sided dolphins (Lagenorhynchus
acutus), white-beaked dolphins (Lagenorhynchus albirostris), Sowerby's
beaked whale (Mesoplodon bidens), harp seal (Pagophilus groenlandicus),
and hooded seal (Cystophora cristata). Extralimital or rarely sighted
species in the GOMRA include the North Atlantic right whale (Eubalaena
glacialis), blue whale, fin whale (B. physalus), sei whale, minke whale
(B. acutorostrata), humpback whale (Megaptera novaeangliae), and
Sowerby's beaked whale. In the CRA, extralimital or rarely sighted
species include blue whale, fin whale, sei whale, Bryde's whale, minke
whale, harbor seal (Phoca vitulina), gray seal (Halichoerus grypus),
harp seal, and hooded seal. In addition, Caribbean manatees (Trichechus
manatus) may be found in all three research areas. However, manatees
are managed by the U.S. Fish and Wildlife Service and are not
considered further in this document.
[[Page 27041]]
Table 3a--Marine Mammals Potentially Present in the Atlantic, Gulf of Mexico, and Caribbean Research Areas During Fishery Research
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Research area ESA status (L/
------------------------------------ NL), MMPA Stock abundance
Common name Scientific name MMPA stock Strategic (Y/N) (CV, Nmin) 2 PBR 3 Annual M/SI 4
ARA GOM CRA 1
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Order Cetartiodactyla--Cetacea--Suborder Mysticeti (baleen whales)
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Family Balaenopteridae
(rorquals):
North Atlantic right whale... Eubalaena glacialis Western North X .......... .......... L, Y 451 (0, 445)....... 0.9............. 5.56.
Atlantic.
Humpback whale............... Megaptera Gulf of Maine 5.... X X X NL, Y 896 (0, 896 )...... 14.6............ 9.8.
novaeangliae.
Blue whale................... Balaenoptera Western North X .......... .......... L, Y unk (unk, 440, 0.9............. unk.
musculus. Atlantic. 2010).
Fin whale.................... Balaenoptera Western North X .......... .......... L, Y 1,618 (0.33, 1,234) 2.5............. 2.65.
physalis. Atlantic.
Minke whale.................. Balaenoptera Canadian East Coast X X X NL, N 2,591 (0.81, 1,425) 14.............. 7.5.
acutorostrata.
Bryde's whale................ Balaenoptera edeni. Northern Gulf of .......... X .......... L, Y 33 (1.07, 16)...... 0.03............ 0.7.
Mexico.
Sei whale.................... Balaenoptera Nova Scotia........ X .......... .......... L, Y 357 (0.52, 236).... 0.5............. 0.6.
borealis.
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Order Cetartiodactyla--Cetacea--Suborder Odontoceti (toothed whales)
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Family Physeteridae:
Sperm whale.................. Physeter North Atlantic..... X .......... .......... L, Y 2,288 (0.28,1,815). 3.6............. 0.8.
macrocephalus.
Northern Gulf of .......... X .......... L, Y 763 (0.38, 560).... 1.1............. 0.
Mexico.
Puerto Rico and .......... .......... X L, Y unk................ unk............. unk.
U.S. Virgin
Islands.
Family Kogiidae:
Pygmy sperm whale............ Kogia breviceps.... Western North X .......... X NL, N 3,785 (0.47, 2,598) 21.............. 3.5.
Atlantic. 6.
Northern Gulf of .......... X .......... NL, N 186 (1.04, 90) 7... 0.9............. 0.3.
Mexico.
Dwarf sperm whale............ K. sima............ Western North X .......... X NL, N 3,785 (0.47, 2,598) 21.............. 3.5.
Atlantic. 6.
Northern Gulf of .......... X .......... NL, N 186 (1.04, 90) 8... 0.9............. 0.
Mexico.
Family Ziphiidae (beaked whales):
Cuvier's beaked whale........ Ziphius cavirostris Western North X .......... .......... NL, N 6,532 (0.32, 5,021) 50.............. 0.4.
Atlantic.
Northern Gulf of .......... X .......... NL, N 74 (1.04, 36)...... 0.4............. 0.
Mexico.
Puerto Rico and .......... .......... X NL, N Unk................ unk............. unk.
U.S. Virgin
Islands.
Blainville's beaked whale.... Mesoplodon Western North X .......... X NL, N 7,092 (0.54, 4,632) 46.............. 0.2.
densirostris. Atlantic. 8.
Northern Gulf of .......... X .......... NL, N 149 (0.91, 77)..... 0.8............. 0.
Mexico.
Gervais' beaked whale........ Mesoplodon Western North X .......... X NL, N 7,092 (0.54, 4,632) 46.............. 0.
europaeus. Atlantic. 8.
Northern Gulf of .......... X .......... NL, N 149 (0.91, 77)..... 0.8............. 0.
Mexico.
Sowerby's beaked whale....... Mesoplodon bidens.. Western North X .......... X NL, N 7,092 (0.54, 4,632) 46.............. 0.
Atlantic. 8.
True's beaked whale.......... Mesoplodon mirus... Western North X .......... X NL, N 7,092 (0.54, 4,632) 46.............. 0.
Atlantic. 8.
Family Delphinidae (dolphins):
Melon-headed whales.......... Peponocephala Western North X .......... X NL, N Unk................ unk............. 0.
electra. Atlantic.
Northern Gulf of .......... X .......... NL, N 2,235 (0.75, 1,274) 13.............. 0.
Mexico.
Risso's dolphin.............. Grampus griseus.... Western North X .......... X NL, N 18,250 (0.46, 126............. 49.9.
Atlantic. 12,619).
[[Page 27042]]
Northern Gulf of .......... X .......... NL, N 2,442 (0.57, 1,563) 16.............. 7.9.
Mexico.
Short-finned pilot whales.... Globicephala Western North X .......... .......... NL, N 28,924 (0.24, 236............. 168.
macrorhynchus. Atlantic. 23,637).
Northern Gulf of .......... X .......... NL, N 2,415 (0.66, 1,456) 15.............. 0.5.
Mexico.
Puerto Rico and .......... .......... X NL, N unk................ unk............. unk.
U.S. Virgin
Islands.
Long-finned pilot whales..... Globicephala melas. Western North X .......... .......... NL, N 5,636 (0.63, 3,464) 35.............. 27.
Atlantic.
-----------------------------------------------------------------------------------------------------------------------------------------
Bottlenose dolphin........... Tursiops truncatus. See table 3b.
-----------------------------------------------------------------------------------------------------------------------------------------
Common dolphin............... Delphinus delphis.. Western North X .......... .......... NL, N 70,184 (0.28, 557............. 406.
Atlantic. 55,690).
Atlantic spotted dolphin..... Stenella frontalis. Western North X .......... .......... NL, N 44,715 (0.43, 316............. 0.
Atlantic. 31,610).
Northern Gulf of .......... X .......... NL, N unk................ unk............. 42.
Mexico.
Puerto Rico and .......... .......... X NL, N unk................ unk............. unk.
U.S. Virgin
Islands.
Pantropical spotted dolphin.. Stenella attenuata. Western North X .......... X NL, N 3,333 (0.91, 1,733) 17.............. 0.
Atlantic.
Northern Gulf of .......... X .......... ................ 50,880 (0.27, 407............. 4.4.
Mexico. 40,699).
Striped dolphin.............. Stenella Western North X .......... X NL, N 54,807 (0.3, 428............. 0.
coeruleoalba. Atlantic. 42,804).
Northern Gulf of .......... X .......... NL, N 1,849 (0.77, 1,041) 10.............. 0.
Mexico.
Fraser's dolphin............. Lagenodelphis hosei Western North X .......... X NL, N unk................ unk............. 0.
Atlantic.
Gulf of Mexico..... .......... X .......... NL, N unk................ undet........... 0.
Rough-toothed dolphin........ Steno bredanensis.. Western North X .......... X NL, N 136 (1.0, 67)...... 0.7............. 0.
Atlantic.
Northern Gulf of .......... X .......... NL, N 624 (0.99, 311).... 2.5............. 0.8.
Mexico.
Clymene dolphin.............. Stenella clymene... Western North X .......... X NL, N unk................ undet........... 0.
Atlantic.
Northern Gulf of .......... X .......... NL, N 129 (1.0, 64)...... 0.6............. 0.
Mexico.
Spinner dolphin.............. Stenella Western North X .......... .......... NL, N unk................ unk............. 0.
longirostris. Atlantic.
Northern Gulf of .......... X .......... NL, N 11,441 (0.83, 62.............. 0.
Mexico. 6,221).
Puerto Rico and .......... .......... X NL, N unk................ unk............. unk.
U.S. Virgin
Islands.
Killer whale................. Orcinus orca....... Western North X .......... X NL, N unk................ unk............. 0.
Atlantic.
Northern Gulf of .......... X .......... NL, N 28 (1.02, 14)...... 0.1............. 0.
Mexico.
Pygmy killer whale........... Feresa attenuata... Western North X .......... X NL, N unk................ unk............. 0.
Atlantic.
Northern Gulf of .......... X .......... NL, N 152 (1.02, 75)..... 0.8............. 0.
Mexico.
False killer whale........... Pseudorca Western North X .......... X NL, N 442 (1.06, 212).... 2.1............. unk.
crassidens. Atlantic.
Northern Gulf of .......... X .......... NL, N unk................ undet........... 0.
Mexico.
Family Phocoenidae (porpoises):
Harbor porpoise.............. Phocoena phocoena Gulf of Maine/Bay X .......... .......... NL, N 79,833 (0.32, 706............. 255.
vomerina. of Fundy. 61,415).
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Order Carnivora--Superfamily Pinnipedia
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
Family Phocidae (earless seals):
Harbor seal.................. Phoca vitulina Western North X .......... .......... NL, N 75,834 (0.15, 2,006........... 345.
richardii. Atlantic. 66,884).
[[Page 27043]]
Gray seal.................... Halichoerus grypus. Western North X .......... .......... NL, N 27,131 (0.19, 1,389........... 5,688.
Atlantic. 23,158).
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
1 Endangered Species Act (ESA) status: Endangered (E), Threatened (T)/MMPA status: Depleted (D). NL indicates that the species is not listed under the ESA and is not designated as depleted
under the MMPA. Under the MMPA, a strategic stock is one for which the level of direct human-caused mortality exceeds PBR or which is determined to be declining and likely to be listed under
the ESA within the foreseeable future. Any species or stock listed under the ESA is automatically designated under the MMPA as depleted and as a strategic stock.
2 NMFS marine mammal stock assessment reports at: www.nmfs.noaa.gov/pr/sars/. CV is coefficient of variation; Nmin is the minimum estimate of stock abundance.
3 PBR indicates Potential Biological Removal as referenced from the SARs. PBR is defined by the MMPA as the maximum number of animals, not including natural mortalities, that may be removed
from a marine mammal stock while allowing that stock to reach or maintain its optimum sustainable population. It is the product of minimum population size, one-half the maximum net
productivity rate and a recovery factor for endangered, depleted, threatened stocks, or stocks of un known status relative to OSP.
4 These values, found in NMFS' SARs, represent annual levels of human-caused mortality plus serious injury from all sources combined (e.g., commercial fisheries, subsistence hunting, ship
strike). Annual M/SI often cannot be determined precisely and is in some cases presented as a minimum value. All M/SI values are as presented in the draft 2019 SARs.
5 Humpback whales present off the southeastern U.S. are thought to be predominantly from the Gulf of Maine stock. However, these could include animals from Canadian stocks (e.g., Nova Scotia)
(NMFS, 2017). Here we provide estimates for the Gulf of Maine stock only as a conservative value.
6 This estimate includes both dwarf and pygmy sperm whales in the N. Atlantic stock.
7 This estimate includes both dwarf and pygmy sperm whales in the Gulf of Mexico stock.
8 This estimate includes all species of Mesoplodon in the N. Atlantic stock.
Table 3b--Bottlenose Dolphin Stocks Potentially Present in the Atlantic, Gulf of Mexico, and Caribbean Research
Areas and Texas During Fishery Research
----------------------------------------------------------------------------------------------------------------
Stock abundance
Stock MMPA status (CV, Nmin) 1 PBR Annual M/SI
----------------------------------------------------------------------------------------------------------------
Atlantic Research Area
----------------------------------------------------------------------------------------------------------------
Western North Atlantic, Not Strategic............ 77,532 (0.40, 561.............. 39.4.
Offshore. 56,053).
Northern Migratory Coastal... Depleted................. 6,639 (0.41, 48............... 6.1-13.2.
4,759).
Southern Migratory Coastal... Depleted................. 3,751 (0.06, 23............... 0-14.3.
2,353).
South Carolina & Georgia Depleted................. 6,027 (0.34, 46............... 1.4-1.6.
Coastal. 4,569).
Northern Florida Coastal..... Depleted................. 877 (0.0.49, 6................ 0.6.
595).
Central Florida Coastal...... Depleted................. 1,218 (0.71, 9.1.............. 0.4.
2,851).
Northern North Carolina Strategic................ 823 (0.06, 782). 7.8.............. 0.8-18.2.
Estuarine System.
Southern North Carolina Strategic................ unk............. undet............ 0.4-0.6.
Estuarine System.
Northern South Carolina Strategic................ unk............. undet............ 0.2.
Estuarine System.
Charleston Estuarine System.. Strategic................ unk............. undet............ unk.
Northern Georgia/Southern Strategic................ unk............. undet............ 1.4.
South Carolina Estuarine
System.
Central Georgia Estuarine Strategic................ 192 (0.04, 185). 1.9.............. unk.
System.
Southern Georgia Estuarine Strategic................ 194 (0.05, 185). 1.9.............. unk.
System.
Jacksonville Estuarine System Strategic................ unk............. undet............ 1.2.
Indian River Lagoon.......... Strategic................ unk............. undet............ 4.4.
Biscayne Bay................. Strategic................ unk............. undet............ unk.
Florida Bay.................. Not Strategic............ unk............. undet............ unk.
----------------------------------------------------------------------------------------------------------------
Gulf of Mexico Research Area
----------------------------------------------------------------------------------------------------------------
Oceanic...................... Not Strategic............ 5,806 (0.39, 42............... 6.5.
4,230).
Continental Shelf............ Not Strategic............ 51,192 (0.1, 469.............. 0.8.
46,926).
Western Coastal.............. Not Strategic............ 20,161 (0.17, 175.............. 0.6.
17,491).
Northern Coastal............. Not Strategic............ 7,185 (0.21, 60............... 0.4.
6,004).
Eastern Coastal.............. Not Strategic............ 12,388 (0.13, 111.............. 1.6.
11,110).
----------------------------------------------------------------------------------------------------------------
Northern Gulf of Mexico Bay, Sound, and Estuary 2 3
----------------------------------------------------------------------------------------------------------------
Laguna Madre................. Strategic................ 80 (1.57, unk).. undet............ 0.4.
Nueces Bay, Corpus Christi Strategic................ 58 (0.61, unk).. undet............ 0.
Bay.
Copano Bay, Aransas Bay, San Strategic................ 55 (0.82, unk).. undet............ 0.2.
Antonio Bay, Redfish Bay,
Espirtu Santo Bay.
Matagorda Bay, Tres Palacios Strategic................ 61 (0.45, unk).. undet............ 0.4.
Bay, Lavaca Bay.
West Bay..................... Strategic................ 48 (0.03, 46)... 0.5.............. 0.2.
Galveston Bay, East Bay, Strategic................ 152 (0.43, unk). undet............ 0.4.
Trinity Bay.
Sabine Lake.................. Strategic................ 0 (-,-)......... undet............ 0.2.
Calcasieu Lake............... Strategic................ 0 (-,-)......... undet............ 0.2.
Vermillion Bay, West Cote Strategic................ 0 (-,-)......... undet............ 0.
Blanche Bay, Atchafalaya Bay.
Terrebonne Bay, Timbalier Bay Strategic................ 3,870 (0.15, 27............... 0.2.
3,426).
Barataria Bay................ Strategic................ 2306 (0.09, 17............... 160.
2,138).
Mississippi River Delta...... Strategic................ 332 (0.93, 170). 1.4.............. 0.2.
[[Page 27044]]
Mississippi Sound, Lake Strategic................ 3,046 (0.06, 23............... 310.
Borgne, Bay Boudreau. 2,896).
Mobile Bay, Bonsecour Bay.... Strategic................ 1,393 (unk, unk) undet............ 1.
Perdido Bay.................. Strategic................ 0 (-,-)......... undet............ 0.6.
Pensacola Bay, East Bay...... Strategic................ 33 (............ undet............ unk.
Choctawhatchee Bay........... Strategic................ 179 (0.04, unk). undet............ 0.4.
St. Andrews Bay.............. Strategic................ 124 (0.57, unk). undet............ 0.2.
St. Joseph Bay............... Strategic................ 152 (0.08, unk). undet............ unk.
St. Vincent Sound, Strategic................ 439 (0.14,-).... undet............ 0.
Apalachicola Bay, St.
Georges Sound.
Apalachee Bay................ Strategic................ 491 (0.39, unk). undet............ 0.
Waccasassa Bay, Withlacoochee Strategic................ unk............. undet............ 0.
Bay, Crystal Bay.
St. Joseph Sound, Clearwater Strategic................ unk............. undet............ 0.4.
Harbor.
Tampa Bay.................... Strategic................ unk............. undet............ 0.6.
Sarasota Bay, Little Sarasota Strategic................ 158 (0.27, 126). 1.3.............. 0.6.
Bay.
Pine Island Sound, Charlotte Strategic................ 826 (0.09, -)... undet............ 1.6.
Harbor, Gasparilla Sound,
Lemon Bay.
Caloosahatchee River......... Strategic................ 0 (-,-)......... undet............ 0.4.
Estero Bay................... Strategic................ unk............. undet............ 0.2.
Chokoloskee Bay, Ten Thousand Strategic................ unk............. undet............ 0.
Islands, Gullivan Bay.
Whitewater Bay............... Strategic................ unk............. undet............ 0.
Florida Keys (Bahia Honda to Strategic................ unk............. undet............ 0.
Key West).
----------------------------------------------------------------------------------------------------------------
Carribean Research Area
----------------------------------------------------------------------------------------------------------------
Puerto Rico and U.S. Virgin Strategic................ unk............. undet............ unk.
Islands.
----------------------------------------------------------------------------------------------------------------
1 CV is coefficient of variation; Nmin is the minimum estimate of stock abundance).
2 Details for these 25 stocks are included in the report: Common bottlenose dolphin (Tursiops truncatus
truncatus), Northern Gulf of Mexico Bay, Sound, and Estuary Stocks.
3 The total annual human-caused mortality and serious injury for these stocks of common bottlenose dolphins is
unknown because these stocks may interact with unobserved fisheries. Also, for Gulf of Mexico BSE stocks,
mortality estimates for the shrimp trawl fishery are calculated at the state level and have not been included
within mortality estimates for individual BSE stocks. Therefore, minimum counts of human-caused mortality and
serious injury for these stocks are presented.
Potential Effects of Specified Activities on Marine Mammals and Their
Habitat
We provided a summary and discussion of the potential effects of
the specified activity on marine mammals and their habitat in our
Federal Register notice of proposed rulemaking (84 FR 6576; February
27, 2019). In the Potential Effects of Specified Activities on Marine
Mammals and Their Habitat section of the proposed rule, NMFS provided a
description of the ways marine mammals may be affected by these
activities in the form of serious injury or mortality, physical trauma,
sensory impairment (permanent and temporary threshold shifts and
acoustic masking), physiological responses (particular stress
responses), behavioral disturbance, or habitat effects. We also
describe historical taking by the SEFSC and the circumstances
surrounding those takes. We do not reprint the information here but
refer the reader to that document. For additional summary and
discussion of recent scientific studies not included in the proposed
rulemaking, we direct the reader to the NMFS PEA.
Since 2002, NMFS Science Centers have been documenting and
recording all fishery research related incidental takes of marine
mammals in PSIT database. There is also a documented take on record
from 2001. We present all takes documented by the SEFSC in Table 4.
Table 4--SEFSC Research Gear Interactions With Marine Mammals Since 2001
--------------------------------------------------------------------------------------------------------------------------------------------------------
Number
Survey name (lead Species taken Gear type Date taken Number killed released Total taken
organization) (stock) \1\ alive \2\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Atlantic research area
--------------------------------------------------------------------------------------------------------------------------------------------------------
SEAMAP-SA Coastal Trawl Bottlenose Bottom trawl..... 13 Oct 2019...................... 0 1 1
Survey_Fall (SCDNR). dolphin (South
Carolina/Georgia
coastal).
SEFSC In-Water Sea Turtle Bottlenose Bottom trawl..... 20 July 2016..................... 1 0 1
Research (SCDNR \3\). dolphin (South
Carolina/Georgia
coastal).
SEAMAP-SA Coastal Trawl Bottlenose Bottom trawl..... 11 April 2014.................... 1 0 1
Survey_Spring (SCDNR). dolphin
(Northern
Florida coastal).
[[Page 27045]]
SEAMAP-SA Coastal Trawl Bottlenose Bottom trawl..... 2 Aug 2012....................... 1 0 1
Survey_Summer (SCDNR). dolphin (South
Carolina/Georgia
coastal).
In-Water Sea Turtle Trawl Bottlenose Bottom trawl..... 11 July 2012..................... 0 1 1
Survey (SCDNR). dolphin (South
Carolina/Georgia
coastal).
SEAMAP-SA Coastal Trawl Bottlenose Bottom trawl..... 5 October 2006................... 1 0 1
Survey_Fall (SCDNR). dolphin
(southern
migratory).
SEAMAP-SA Coastal Trawl Bottlenose Bottom trawl..... 28 July 2006..................... 1 0 1
Survey_Summer (SCDNR). dolphin (South
Carolina/Georgia
coastal).
RecFIN Red Drum Trammel Net Bottlenose Trammel net...... 22 August 2002................... 2 0 2
Survey (SCDNR). dolphin
(Charleston
Estuarine
System).
In-Water Sea Turtle Trawl Bottlenose Bottom Trawl..... 2001 \3\......................... 0 1 1
Survey (SCDNR). dolphin (unk).
----------------------------------------------------------------------------------
ARA Total.................. ................. ................. ................................. 7 3 10
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gulf of Mexico Research Area
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gulf of Mexico Shark Pupping Bottlenose Gillnet.......... 3 July 2018...................... 0 1 1
and Nursery GULFSPAN (SEFSC). dolphin
(Sarasota Bay).
Gulf of Mexico Shark Pupping Bottlenose Gillnet.......... 15 July 2016..................... 1 0 1
and Nursery GULFSPAN (USA/ dolphin
DISL\2\). (northern Gulf
of Mexico).
Skimmer Trawl TED Testing Bottlenose Skimmer trawl.... 1 October 2014................... 1 0 1
(SEFSC). dolphin (MS
Sound, Lake
Borgne, Bay
Boudreau).
Skimmer Trawl TED Testing Bottlenose Skimmer.......... 23 October 2013.................. 0 1 1
(SEFSC). dolphin (MS trawl............
Sound, Lake
Borgne, Bay
Boudreau).
SEAMAP-GOM Bottom Longline Bottlenose Bottom longline.. 6 August 2013.................... 0 1 (SI) 1
Survey (ADCNR). dolphin (Mobile
Bay, Bonsecour
Bay).
Gulf of Mexico Shark Pupping Bottlenose Gillnet.......... 18 April 2011.................... 1 0 1
and Nursery GULFSPAN (USA/ dolphin (MS
DISL). Sound, Lake
Borgne, Bay
Boudreau).
-----------------------------------------------
GOMRA Total................ 3 3 6
-----------------------------------------------
Total all areas \3\.... 10 6 16
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ If there was question over an animal's fate after it was released (e.g., it was struggling to breath/swim), it was considered ``killed''. Serious
injury determinations were not previously made for animals released alive, but they are now part of standard protocols for released animals and will
be reported in stock assessment reports.
\2\ Animals released alive but considered seriously injured aew marked as SI.
\3\ This take occurred prior to development of the PSIT database, but we include it here because it is documented.
\4\ There have been no SEFSC fishery research-related takes of marine mammals in the CRA.
Estimated Take
This section provides an estimate of the number of incidental takes
proposed for authorization through this IHA, which will inform both
NMFS' consideration of whether the number of takes is ``small'' and the
negligible impact determination. When discussing take, we consider
three manners of take: Mortality, serious injury, and harassment.
Serious injury is defined as an injury that could lead to mortality,
while injury refers to injury that does not lead to mortality. Except
with respect to certain activities not pertinent here, the MMPA defines
``harassment'' as any act of pursuit, torment, or annoyance which (i)
has the potential to injure a marine mammal or marine mammal stock in
the wild (Level A harassment); or (ii) has the potential to disturb a
marine mammal or marine mammal stock in the wild by causing disruption
of behavioral patterns, including, but not limited to, migration,
breathing, nursing, breeding, feeding, or sheltering (Level B
harassment).
As previously described, the SEFSC has a history of take of marine
mammals incidental to fisheries research. The degree of take resulting
from gear interaction can range from mortality, serious injury, Level A
harassment (injury), or released unharmed with no observable injury.
However, given that we cannot predict the degree of take, we
[[Page 27046]]
conservatively assume that any interaction may result in mortality or
serious injury and have issued take as such. In the case of the
Mississippi Sound stock, we have also authorized a single take from
Level A harassment (injury) only. The amount of research conducted in
Mississippi Sound using gear with the potential for marine mammal
interaction increases the potential for interaction above other
estuarine systems. However, there is evidence that, even without the
proposed prescribed mitigation and monitoring measures, take may not
result in mortality or serious injury (e.g., the October 13, 2013
skimmer trawl take which did not result in serious injury or
mortality). The proposed mitigation and monitoring measures described
in this proposed rulemaking are designed to further reduce risk of take
and degree of take.
Estimated Take Due to Gear Interaction
Given the complex stock structure of bottlenose dolphins throughout
the ARA and GOMRA, as well as the vulnerability of this species to be
taken incidental to fishery research, we have partitioned this section
into two categories to present requested and proposed take in an
organized manner. Below we present our analysis informing the proposed
take of estuarine and coastal bottlenose dolphins followed by pelagic
marine mammals which includes all relevant non-bottlenose dolphin
species and open ocean stocks of bottlenose dolphins.
Estuarine and Coastal Bottlenose Dolphin Take--SEFSC
In order to estimate the number of potential bottlenose dolphin
takes in estuarine and coastal waters, we considered the SEFSC's record
of such past incidents and other sources of take (e.g., commercial
fisheries and non-SEFSC affiliated research). We consulted the SARs,
marine mammal experts at the SEFSC, and information emerging from the
BDTRT to identify these other sources of mortality. We then assessed
the similarities and differences between fishery research and
commercial fisheries gear and fishing practices. Finally, we evaluated
means of affecting the least practicable adverse impact on bottlenose
dolphins through the proposed mitigation and additional mitigation
developed during the proposed rulemaking process.
In total, since 2001 and over the course of thousands of hours of
research effort, 16 marine mammals (all bottlenose dolphins) have been
entangled in SEFSC-affiliated research gear. All takes occurred between
April through October. However, this is likely a result of research
effort concentrated during this time period and there does not appear
to be any trend in increased vulnerability throughout the year.
In the ARA, the SEFSC has 10 documented takes of bottlenose
dolphins (in 9 instances) from fishing gear (Table 5) and 1 take of an
Atlantic spotted dolphin since 2001. The Atlantic spotted dolphin take
was a calf struck by a propeller during a marine mammal research
cruise. Given the anomalous nature of the incident and proposed
mitigation measures, NMFS is not proposing to authorize take by ship
strike. Therefore, this take is not discussed further. Of the 10 gear-
related takes, two animals were taken at once in a trammel net by the
SCDNR in 2002. However, the SCDNR has since changed fishing methods and
implemented monitoring and mitigation measures essentially eliminating
the potential for take during this survey. No other trammel net-related
takes have occurred since these changes were implemented. Therefore, we
believe the potential for a take in SCDNR trammel nets is discountable.
The remaining eight gear-related takes have been a result of
interaction with bottom trawl gear during SEAMAP and TED research
surveys, resulting in an average 0.42 takes per year (8 takes/19
years).
To further assess the potential for take in any given year, we
considered where takes have occurred and the possible stock origin from
which an animal was taken. The July 2006 take occurred offshore of
Fripp Island, SC; the October 2006 take occurred Oak Island, NC; the
July 2012 take occurred off Little Tybee Island, GA; the August 2012
take occurred off Pawley's Island, SC; the April 2014 take occurred
just off the coast of Florida between St. Augustine and Daytona Beach;
the July 2016, take occurred off Sea Island, Georgia which is nestled
between Little St. Simon's Island and St. Simon's Island; and the
October 2019 take occurred approximately 10 km off Dewey's Island,
South Carolina. Therefore, the dolphins taken could have originated
from any of the five coastal stocks (the Northern Migratory and
Southern Migratory stock, South Carolina/Georgia Coastal stock,
Northern Florida Coastal stock and a Central Florida stock), although
they were assigned to the stock based on the location where the take
occurred. Taking the average rate of 0.42 animals per year across five
stocks equates to an average taking of 0.08 animals per stock per year.
This average would be even less if one considers an estuarine stock may
be the stock of origin (although unlikely).
According to the SEFSC's application, three trawl surveys and two
bottom longline surveys conducted by the SEFSC or research partner
overlap spatially with the NNCES stock (Table 1). These are the
Atlantic Striped Bass Tagging Bottom Trawl Survey (USFWS), SEAMAP-SA
Coastal Trawl Survey (SCDNR), SEAMAP-SA North Carolina Pamlico Sound
Trawl Survey (NCDENR), Shark and Red Snapper Bottom Longline Survey
(SEFSC), and the SEAMAP-SA Red Drum Bottom Longline Survey (NCDNR). No
gillnet surveys would take place in waters overlapping with this stock.
Based on data in the PSIT database, no dolphins from the NNCES stock
have been taken from SEFSC or partner fishery research surveys,
including those described above which have taken place for many years.
Despite the lack of historical take, we further investigated the
potential for future interaction. Based on commercial fishery and SEFSC
fishery survey bycatch rates of marine mammals, we would expect the
trawl surveys to be more likely to take a dolphin than the bottom
longline surveys. An evaluation of each occurring survey type is
provided below to more thoroughly evaluate the potential for taking a
bottlenose dolphin belonging to the NNCES stock.
The Atlantic Striped Bass Bottom Trawl Survey (conducted by the
USFWS) is limited to 2 weeks (200-350 trawls) during January and
February in coastal waters north of Cape Hatteras ranging from 30 to
120 ft (9-37 m) in depth. The USFWS uses dual 65-ft trawl nets with
3.75 in. stretch nylon multifilament mesh codend. Tow speed is 3 kts
and tow time does not exceed 30 minutes at depth. Trawl operations are
conducted day and night from the R/V Oregon II, R/V Oregon, or R/V
Savannah (please refer to the PEA for detailed vessel descriptions).
The winter operations of this survey overlaps in time with when some
animals move out of Pamlico Sound and into coastal waters. However,
photo-ID studies, available tag data and stable isotope data indicate
that the portion of the stock that moves out of Pamlico Sound into
coastal waters remain south of Cape Hatteras during cold water months
(Waring et al. 2016). The USFWS has historically conducted surveys
north of Cape Hatteras. However, the survey is currently inactive due
to funding constraints. If funding becomes available, they may
undertake this survey. However, the spatial and temporal specifications
described above greatly reduce the likelihood of a take from the NNCES
stock. In addition,
[[Page 27047]]
given the short duration of the survey (2 weeks) and short tow time
durations (up to 30 minutes), the chance of marine mammal interaction
is limited. This logic is supported by the lack of take from this
survey. At this time, for the reasons described above, we believe the
likelihood of an animal from the NNCES stock being taken during
Atlantic Striped Bass Bottom Trawl Survey is unlikely.
The SEAMAP-SA Pamlico Sound Trawl Survey (NCDENR) is conducted to
support stock assessments and management of finfish, shrimp, and crab
species in Pamlico Sound and its bays and rivers. The otter trawl
survey takes place for 10 days in June and 10 days in September during
daylight hours. Up to 54 trawls are completed each month (total = 108
trawls) aboard the R/V Carolina Coast. The general area of operation is
Pamlico Sound and the Pamlico, Pungo, and Neuse rivers in waters
greater than or equal to 6 ft. Despite spatial and temporal overlap
with the NNCES stock, this survey has no record of interacting with a
marine mammal. Given the lack of historical interaction, limited number
of tows, and implementation of the proposed monitoring and mitigation
measures, we do not believe there is reasonable likelihood that of take
from this survey.
The SEAMAP-SA Coastal Trawl Survey (SCDNR) operates 300-350 trawls
annually from Cape Hatteras, NC to Cape Canaveral, FL in nearshore
oceanic waters of 15-30 ft (4-10 m) depth. Its goal is to collect long-
term fishery independent data on ecologically, commercially, and
recreationally important fish and invertebrates, including shrimp and
blue crab. Tow time is approximately 20 minutes. This survey is not
associated with sea turtle research surveys, which have longer tow
times. SCDNR uses the R/V Lady Lisa outfitted with an otter trawl
comprised of paired mongoose-type Falcon bottom trawls. All takes of
dolphins have occurred in coastal waters (none from estuarine waters),
and all assigned takes have been from coastal stocks. However, because
estuarine stocks may venture into coastal waters, there is a small
possibility that takes from this survey could have been from the SNCES
(n = 1), Northern South Carolina Estuarine System (n = 1), Northern
Georgia/Southern South Carolina Estuarine System (n = 2), and Southern
Georgia Estuarine System (n = 1) (Table 5). This is the only survey
which may potentially overlap with the NNCES and SNCES stock, but it
does so in coastal waters where coastal stocks overlap in time and
space. It is most likely that a take from this survey would be from a
coastal stock. Therefore, we are not proposing to authorize take from
the NNCES or SNCES stock.
Table 5--Possible Stock Origin of Bottlenose Dolphins Taken in the ARA
----------------------------------------------------------------------------------------------------------------
Possible stocks
Date Location taken -------------------------------------------------
Coastal Estuarine
----------------------------------------------------------------------------------------------------------------
2001................................. Unknown................ Unknown................ unknown
July 2006............................ Off Fripp Island, GA... W.N. Atlantic South Northern Georgia/
Carolina-Georgia Southern South
Coastal. Carolina Estuarine
System.
October 2006......................... Off Oak Island, NC..... Southern Migratory..... Southern North Carolina
Estuarine System.
July 2012............................ Off Little Tybee W.N. Atlantic South Northern Georgia/
Island, GA. Carolina-Georgia Southern South
Coastal. Carolina Estuarine
System.
August 2012.......................... Off Pawley's Island, SC W.N. Atlantic South Northern South Carolina
Carolina-Georgia Estuarine System:
Coastal.
April 2014........................... off the coast of W.N. Atlantic Northern W.N. Atlantic Central
Florida between St. Florida Coastal. Florida Coastal.
Augustine and Daytona
Beach.
July 2016............................ off Sea Island, Georgia W.N. Atlantic South Southern Georgia
Carolina-Georgia Estuarine System.
Coastal.
October 2019......................... 10 kms off Dewey's W.N. Atlantic South N/A--too far offshore.
Island, SC. Carolina-Georgia
Coastal.
----------------------------------------------------------------------------------------------------------------
The only survey overlapping with the Indian River Lagoon (IRL)
stock is the St. Lucie Rod-and-Reel Fish Health Study. There are no
documented instances of the SEFSC taking a dolphin from this survey.
Therefore, we believe the likelihood of take is low and mitigation
measures (e.g. quickly reeling in line if dolphins are likely to
interact with gear) would be effective at further reducing take
potential to discountable. In consideration of this, we are not
proposing to issue take of the IRL stock.
In summary, we are not proposing to authorize requested take in the
ARA for the NNCES, SNCES, and Indian River Lagoon stocks due to low to
discountable potential for take. For all other estuarine stocks for
which take was requested (n = 7), we are proposing to authorize the
requested one take over 5 years by M/SI (Table 7). We are proposing to
issue the requested three M/SI takes per stock of each of the coastal
stocks and the offshore stock in the ARA over 5 years (Table 7).
In the GOMRA, the SEFSC is requesting to take one dolphin from each
of the 21 estuarine stocks, three dolphins from the Mississippi Sound
stock, and three dolphins per year from the coastal stocks (Table 7).
Similar to the ARA, NMFS examined the SEFSC's request and assessed
authorizing take based on fishing effort and stock spatial and temporal
parameters, the potential for take based on fishing practices (e.g.,
gear description, tow/soak times). In addition, the SEFSC has provided
supplemental information indicating some surveys are discontinued or
currently inactive and are not likely to take place during the proposed
5-year regulations. For example, at time of the application, only one
survey conducted by TPWD was planned to occur in Sabine Lake. However,
that specific survey has been discontinued. Therefore, no fisheries
research by SEFSC or its partners would occur in Sabine Lake.
Therefore, no take is expected to occur, and we did not include take of
dolphins in Sabine Lake in the rule.
When examining the survey gear used and fishing methods, we
determined that the IJA Open Bay Shellfish Trawl Survey (conducted by
TPWD) has a very low potential to take dolphins. This survey has no
documented dolphin/gear interactions despite high fishing effort (90
trawls for month/1080 trawls per year). This is likely because TPWD
uses
[[Page 27048]]
a very small (20 ft (6 m) wide) otter shrimp trawl which is towed for
only 10 minutes in 3-30 ft (1-10 m) of water. The nets can be retrieved
within 1 to 2 minutes. The IJA Open Bay Shellfish Trawl Survey is the
only survey conducted by the SEFSC that overlaps with the following BSE
bottlenose dolphin stocks: Laguna Madre; Nueces Bay, Corpus Christi
Bay; Copano Bay, Aransas Bay, San Antonio Bay, Redfish Bay, Espirtu
Santo Bay; Matagorda Bay, Tres Palacios Bay, Lavaca Bay; West Bay, and
Galveston Bay, East Bay, Trinity Bay. TPWD has no documented take of
dolphins from the IJA Open Bay Shellfish Trawl Survey despite years of
research effort. Due to the discountable potential for take from the
IJA Open Bay Shellfish Trawl Survey, we are not proposing to authorize
take of these Texas bottlenose dolphin stocks to the SEFSC.
Another stock with a discountable potential for take is the
Barataria Bay stock. This stock's habitat includes Caminada Bay,
Barataria Bay east to Bastian Bay, Bay Coquette, and Gulf coastal
waters extending 1 km from the shoreline. The SEFSC has committed to
avoiding conducting fisheries independent monitoring in these waters.
Hence, we find the potential for take from the Barataria Bay stock is
discountable and we are not proposing to authorize the requested take.
On December 22, 2017, the SEFSC indicated the Gulfspan shark survey
conducted by University of West Florida (UWF) is considered inactive as
of 2017 and would not likely take place over the course of the
regulations due to staffing changes. This is the only survey
overlapping with the Perdido Bay, Pensacola Bay, Choctawhatchee Bay
stocks. Therefore, we find the potential for take from these stocks is
discountable, and we are not proposing to authorize the requested take.
There are nine surveys in the GOMRA overlapping with the
Mississippi Sound, Lake Borgne, Bay Boudreau stock (MS Sound stock):
four trawl, three gillnet, and two hook and line. While there are three
documented takes from this stock since 2011 (from gillnet and trawl
surveys), there are none none prior to that year. The SEFSC requested
three M/SI takes from the MS Sound stock due to the amount of fishing
effort in this waterbody. However, we find two takes are warranted over
the life of the 5-year regulations given the lack of take prior to 2011
and implementation of the mitigation and monitoring measures. Further,
previous takes indicate there is potential that a marine mammal may not
die or be seriously injured in fishing gear but be injured. Therefore,
we are proposing to authorize one take by M/SI and one take by Level A
harassment for the Mississippi Sound stock over the 5-year regulations
(Table 6). No takes of bottlenose dolphins by the SEFSC have been
documented in the CRA. However, we authorize one take over 5 years at
the request of the SEFSC.
Table 6--SEFSC Total Requested and Authorized Take of Bottlenose Dolphins in ARA, GOMRA, and CRA Over the Life
of the Proposed 5-Year Regulations
----------------------------------------------------------------------------------------------------------------
Total
requested take
Stock (M/SI or level Total authorized take (M/SI or level A)
A )
----------------------------------------------------------------------------------------------------------------
Northern North Carolina Estuarine System 1 0 \1\
Stock.
Southern North Carolina Estuarine System 1 0 \1\
Stock.
Northern South Carolina Estuarine Stock...... 1 1
Charleston Estuarine System Stock............ 1 1
Northern Georgia/Southern South Carolina 1 1
Estuarine System Stock.
Central Georgia Estuarine System............. 1 1
Southern Georgia Estuarine System Stock...... 1 1
Jacksonville Estuarine System Stock.......... 1 1
Indian River Lagoon Estuarine System Stock... 1 0 \1\
Biscayne Bay Stock........................... 0 0
Florida Bay Stock............................ 1 1
Western North Atlantic South Carolina/Georgia 3 3
Coastal Stock.
Western North Atlantic Northern Florida 3 3
Coastal Stock.
Western North Atlantic Central Florida 3 3
Coastal Stock.
Western North Atlantic Northern Migratory 3 3
Coastal Stock.
Western North Atlantic Southern Migratory 3 3
Coastal Stock.
Western North Atlantic Offshore Stock........ 3 3
Puerto Rico and US Virgin Islands Stock...... 1 1
Laguna Madre................................. 1 0 \1\
Nueces Bay, Corpus Christi Bay............... 1 0 \1\
Copano Bay, Aransas Bay, San Antonio Bay, 1 0 \1\
Redfish Bay, Espirtu Santo Bay.
Matagorda Bay, Tres Palacios Bay, Lavaca Bay. 1 0 \1\
West Bay..................................... 1 0 \1\
Galveston Bay, East Bay, Trinity Bay......... 1 0 \1\
Sabine Lake.................................. 1 0 \1\
Calcasieu Lake............................... 0 0
Atchalfalaya Bay, Vermilion Bay, West Cote 0 0
Blanche Bay.
Terrabonne Bay, Timbalier Bay................ 1 1
Barataria Bay Estuarine System............... 1 0 \2\
Mississippi River Delta...................... 1 1
Mississippi Sound, Lake Bornge, Bay Boudreau. 3 1 M/SI, 1 Level A \3\
Mobile Bay, Bonsecour Bay.................... 1 1
Perdido Bay.................................. 1 0 \2\
Pensacola Bay, East Bay...................... 1 0 \2\
Choctwhatchee Bay............................ 1 0 \2\
St. Andrew Bay............................... 1 1
St. Joseph Bay............................... 1 1
St. Vincent Sound, Apalachiola Bay, St. 1 1
George Sound.
Apalachee Bay................................ 1 1
[[Page 27049]]
Waccasassa Bay, Withlacoochee Bay, Crystal 1 1
Bay.
St. Joseph Sound, Clearwater Harbor.......... 0 0
Tampa Bay.................................... 0 0
Sarasota Bay, Little Sarasota Bay............ 0 0
Pine Island Sound, Charlotte Harbor, 1 1
Gasparilla Sound, Lemon Bay.
Caloosahatchee River......................... 0 0
Estero Bay................................... 0 0
Chokoloskee Bay, Ten Thousand Islands, 1 1
Gullivan Bay.
Whitewater Bay............................... 0 0
Florida Keys-Bahia Honda to Key West......... 0 0
Northern Gulf of Mexico Western Coastal Stock 3 3
Northern Gulf of Mexico Northern Coastal 3 3
Stock.
Northern Gulf of Mexico Eastern Coastal Stock 3 3
----------------------------------------------------------------------------------------------------------------
\1\ Surveys overlapping these stocks have a low to discountable potential to take marine mammals due to temporal
and spatial overlap with stock, fishing methods, and/or gear types. The SEFSC has no history of taking
individuals from these stocks.
\2\ No surveys are proposed that overlap with these stocks.
\3\ The SEFSC has the potential to take one marine mammal by M/SI or Level A harassment and one marine mammal by
Level A harassment (injury) only for the Mississippi Sound stock.
Pelagic Marine Mammals Take--SEFSC
Since systematic record keep began in 2002, the SEFSC and
affiliated research partners have taken no marine mammals species other
than bottlenose dolphins by gear interaction. However, NMFS has
assessed other sources of M/SI for these species (e.g., commercial
fishing) to inform the potential for incidental takes of marine mammals
in the ARA, GOMRA, and CRA under this rule. These species have not been
taken historically by SEFSC research activities but inhabit the same
areas and show similar types of behaviors and vulnerabilities to such
gear used in other contexts. To more comprehensively identify where
vulnerability and potential exists for take between SEFSC research and
other species of marine mammals, we compared with similar commercial
fisheries by way of the 2017 List of Fisheries (LOF) and the record of
interactions from non-SEFSC affiliated research.
NMFS LOF classifies U.S. commercial fisheries into one of three
categories according to the level of incidental marine mammal M/SI that
is known to have occurred on an annual basis over the most recent 5-
year period (generally) for which data has been analyzed: Category I,
frequent incidental M/SI; Category II, occasional incidental M/SI; and
Category III, remote likelihood of or no known incidental M/SI. In
accordance with the MMPA (16 U.S.C. 1387(e)) and 50 CFR 229.6, any
vessel owner or operator, or gear owner or operator (in the case of
non-vessel fisheries), participating in a fishery listed on the LOF
must report to NMFS all incidental mortalities and injuries of marine
mammals that occur during commercial fishing operations, regardless of
the category in which the fishery is placed. The LOF for 2016 was based
on, among other things, stranding data; fisher self-reports; and SARs,
primarily the 2014 SARs, which are generally based on data from 2008-
2012. Table 7 indicates which species (other than bottlenose dolphins)
have been known to interact with commercial fishing gear in the three
research areas based on the 2016 LOF (81 FR 20550; April 8, 2016). More
information on the 2016 LOF can be found at http://www.nmfs.noaa.gov/pr/interactions/fisheries/lof.html.
Table 7--Gear Types Implicated for Interaction With Marine Mammals in the Atlantic Ocean, Gulf of Mexico, and
Caribbean Commercial Fisheries
----------------------------------------------------------------------------------------------------------------
Fishery by gear type \1\
-------------------------------------------------------------------
Species Gillnet
fisheries Trawl fisheries Trap/pot Longline
----------------------------------------------------------------------------------------------------------------
N. Atlantic right whale..................... Y ............... Y ...............
Humpback whale.............................. Y ............... Y ...............
Fin whale................................... Y ............... Y ...............
Minke whale................................. Y Y Y Y
Risso's dolphin............................. Y Y ............... Y
Cuvier's beaked whale....................... ............... ............... ............... Y
Gervais beaked whale........................ ............... ............... ............... Y
Beaked whale (Mesoplodon spp)............... ............... ............... ............... Y
False killer whale.......................... ............... ............... ............... Y
Killer whale................................ ............... ............... ............... Y
Pygmy sperm whale........................... ............... ............... ............... Y
Sperm Whale................................. ............... ............... ............... Y
Long-finned pilot whale..................... Y Y ............... Y
Short-finned pilot whale.................... ............... ............... ............... Y
White-sided dolphin......................... Y Y ............... ...............
[[Page 27050]]
Atlantic spotted dolphin.................... ............... Y ............... Y
Pantropical spotted dolphin................. Y ............... ............... Y
Common dolphin.............................. Y Y ............... Y
Harbor porpoise............................. Y Y ............... ...............
Harbor seal................................. Y Y Y ...............
Gray seal................................... ............... Y ............... ...............
----------------------------------------------------------------------------------------------------------------
\1\ Only fisheries with gear types used by the SEFSC during the course of the regulations are included here. For
example, purse seine and aquaculture fisheries are also known to interact with marine mammals in the specified
geographic region. However, the SEFSC would not use those gears during their research.
In addition to examining known interaction, we also considered a
number of activity-related factors (e.g., gear size, set duration,
etc.) and species-specific factors (e.g., species-specific knowledge
regarding animal behavior, overall abundance in the geographic region,
density relative to SEFSC survey effort, feeding ecology, propensity to
travel in groups commonly associated with other species historically
taken) to determine whether a species may have a similar vulnerability
to certain types of gear as historically taken species. For example,
despite known take in commercial trap/pot fisheries, here we rule out
the potential for traps/pots to take marine mammals incidental to SEFSC
research for a number of reasons. Commercial fisheries often involve
hundreds of unattended traps that are located on a semi-permanent
basis, usually with long, loose float lines, in shallow waters close to
shore. In contrast, SEFSC research gear is fished in deeper waters, and
typically only one pot is fished at a time and monitored continuously
for short soak times (e.g., one hour). These differences in fishing
practices, along with the fact no marine mammals have been taken in a
SEFSC trap/pot, negate the potential for take to a level NMFS does not
believe warrants authorization of take, and there is no historical
documentation of take from this gear incidental to SEFSC surveys.
Therefore, we do not expect take incidental to SEFSC research
activities using trap/pot gear.
It is well documented that multiple marine mammal species are taken
in commercial longline fisheries (Table 8). We used this information to
help make an informed decision on the probability of specific cetacean
and large whale interactions with longline gear and other hook-and-line
gear while taking into account many other factors affecting the
vulnerability of a species to be taken in SEFSC research surveys (e.g.,
relative survey effort, survey location, similarity in gear type,
animal behavior, prior history of SEFSC interactions with longline gear
etc.). First we examined species known to be taken in longline
fisheries but for which the SEFSC has not requested take. For example,
the SEFSC is not requesting take of large whales in longline gear.
Although large whale species could become entangled in longline gear,
the probability of interaction with SEFSC longline gear is extremely
low considering a far lower level of survey effort relative to that of
commercial fisheries, as well as much shorter set durations, shorter
line lengths, and monitoring and mitigation measures implemented by the
SEFSC (e.g., the move-on rule). Although data on commercial fishing
efforts comparable to the known SEFSC research protocols (net size, tow
duration and speed, and total number of tows) are not publically
available, based on the amount of fish caught by commercial fisheries
versus SEFSC fisheries research, the ``footprint'' of research effort
compared to commercial fisheries is very small (see Section 9 in the
SEFSC's application). As such, the SEFSC has not requested, nor is NMFS
proposing, to authorize take of large whales (i.e., mysticetes)
incidental to longline research. There are situations with hook-and-
line (e.g., longline) fisheries research gear when a caught animal
cannot be identified to species with certainty. This might occur when a
hooked or entangled dolphin frees itself before being identified or
when concerns over crew safety, weather, or sea state conditions
necessitate quickly releasing the animal before identification is
possible. The top priority for live animals is to release them as
quickly and safely as possible. The SEFSC ship's crew and research
personnel make concerted efforts to identify animals incidentally
caught in research gear whenever crew and vessel safety are not
jeopardized.
With respect to trawling, both commercial fisheries and non-SEFSC
affiliated research trawls in the Gulf of Mexico have taken pelagic
marine mammals. For example, a mid-water research trawl conducted to
monitor the effects of the Deepwater Horizon oil spill in the Gulf of
Mexico took three pantropical spotted dolphins in one trawl in 2012.
Additionally, an Atlantic spotted dolphin was taken in non-SEFSC
research bottom trawl in 2014. Known takes in commercial trawl
fisheries in the ARA and GOMRA include a range of marine mammal species
(Table 8). NMFS examined the similarities between species known to be
taken in commercial and non-SEFSC research trawls with those species
that overlap in time and space with SEFSC research trawls in the open
ocean. Because some species exhibit similar behavior, distribution,
abundance, and vulnerability to research trawl gear to these species,
NMFS proposes to authorize take of eight species of pelagic cetaceans
and two pinniped species in the ARA and nine species of cetaceans in
the GOMRA (Table 9). In addition, NMFS provides allowance of one take
of an unidentified species in the ARA, GOMRA, and CRA over the life of
these regulations to account for any animal that cannot be identified
to a species level. Takes would occur incidental to trawl and hook and
line (including longline) research in the ARA and GOMRA. However,
because the SEFSC does not use trawl gear in the CRA, take is
incidental to hook and line gear in the Caribbean (see Tables 6.4-6.6
in SEFSC's application for more detail). We are proposing to authorize
the amount of take requested by the SEFSC's for these stocks listed in
Table 8.
[[Page 27051]]
Table 8--Total Take, by Species and Stock, of Pelagic Marine Mammals in
the ARA and GOMRA Incidental to Trawl and Hook and Line Research and, in
the CRA, Incidental to Hook and Line Research Activities Over the 5 Year
Regulations
------------------------------------------------------------------------
Total M&SI
Species Stock take
------------------------------------------------------------------------
Risso's dolphin................ Western North Atlantic. 1
N. Gulf of Mexico...... 1
Melon headed whale............. N. Gulf of Mexico...... 3
Short-finned pilot whale....... Western North Atlantic. 1
N. Gulf of Mexico...... 1
Long-finned pilot whale........ Western North Atlantic. 1
Short-beaked common dolphin.... Western North Atlantic. 4
Atlantic spotted dolphin....... Western North Atlantic. 4
N. Gulf of Mexico...... 4
Pantropical spotted dolphin.... Western North Atlantic. 1
N. Gulf of Mexico...... 4
Striped dolphin................ Western North Atlantic. 3
N. Gulf of Mexico...... 3
Spinner dolphin................ N. Gulf of Mexico...... 3
Rough-toothed dolphin.......... N. Gulf of Mexico...... 1
Bottlenose dolphin............. Western North Atlantic 4
Oceanic.
N. Gulf of Mexico 4
Oceanic.
N. Gulf of Mexico 4
Continental Shelf.
Puerto Rico/USVI....... 1
Harbor porpoise................ Gulf of Maine/Bay of 1
Fundy.
Undetermined delphinid......... Western North Atlantic. 1
N. Gulf of Mexico...... 1
Harbor seal.................... Western North Atlantic. 1
Gray seal...................... Western North Atlantic. 1
------------------------------------------------------------------------
Estimated Take Due to Acoustic Harassment
As described previously (Potential Effects of Specified Activities
on Marine Mammals and their Habitat), we believe that SEFSC use of
active acoustic sources has, at most, the potential to cause Level B
harassment of marine mammals. In order to attempt to quantify the
potential for Level B harassment to occur, NMFS (including the SEFSC
and acoustics experts from other parts of NMFS) developed an analytical
framework considering characteristics of the active acoustic systems
described previously under Description of Active Acoustic Sound
Sources, their expected patterns of use, and characteristics of the
marine mammal species that may interact with them. This quantitative
assessment benefits from its simplicity and consistency with current
NMFS acoustic guidance regarding Level B harassment but we caution
that, based on a number of deliberately precautionary assumptions, the
resulting take estimates may be seen as an overestimate of the
potential for Level B harassment to occur as a result of the operation
of these systems. Additional details on the approach used and the
assumptions made that result in these estimates are described below.
Acoustic Thresholds
Using the best available science, NMFS has developed acoustic
thresholds that identify the received level of underwater sound above
which exposed marine mammals would be reasonably expected to be
behaviorally harassed (equated to Level B harassment) or to incur PTS
of some degree (Level A harassment). We note NMFS has begun efforts to
update its behavioral thresholds, considering all available data, and
is formulating a strategy for updating those thresholds for all types
of sound sources considered in incidental take authorizations. It is
NMFS intention to conduct both internal and external review of any new
thresholds prior to finalizing. In the interim, we apply the
traditional thresholds.
Level B Harassment for non-explosive sources--Though significantly
driven by received level, the onset of behavioral disturbance from
anthropogenic noise exposure is also informed to varying degrees by
other factors related to the source (e.g., frequency, predictability,
duty cycle), the environment (e.g., bathymetry), and the receiving
animals (hearing, motivation, experience, demography, behavioral
context) and can be difficult to predict (Southall et al., 2007,
Ellison et al., 2011). Based on what the best available science
indicates and the practical need to use a threshold based on a factor
that is both predictable and measurable for most activities, NMFS uses
a generalized acoustic threshold based on received level to estimate
the onset of Level B harassment. NMFS predicts that marine mammals are
likely to be behaviorally harassed in a manner we consider Level B
harassment when exposed to underwater anthropogenic noise above
received levels of 120 dB re 1 [mu]Pa (rms) for continuous (e.g.,
vibratory pile-driving, drilling) and above 160 dB re 1 [mu]Pa (rms)
for non-explosive impulsive (e.g., seismic airguns) or intermittent
(e.g., scientific sonar) sources. Neither threshold is used for
military sonar due to the unique source characteristics.
The Marine Mammal Commission (Commission) has previously suggested
NMFS apply the 120 dB continuous threshold to scientific sonar such as
the ones proposed by the SEFSC. NMFS has responded to this comment in
multiple Federal Register notices of issuance for other NMFS science
centers. However, we provide more clarification here on why the 160 dB
threshold is appropriate when estimating take from acoustic sources
used during SEFSC research activities. NMFS has historically referred
to the 160 dB threshold as the impulsive threshold, and the 120 dB
threshold as the continuous threshold, which in and of itself is
conflicting as one is referring to pulse characteristics and the other
is referring to the temporal component. A more accurate term for
[[Page 27052]]
the impulsive threshold is the intermittent threshold. This distinction
is important because, when assessing the potential for hearing loss
(PTS or TTS) or non-auditory injury (e.g., lung injury), the spectral
characteristics of source (impulsive vs. non-impulsive) is critical to
assessing the potential for such impacts. However, for behavior, the
temporal component is more appropriate to consider. Gomez et al. (2016)
conducted a systematic literature review (370 papers) and analysis (79
studies, 195 data cases) to better assess probability and severity of
behavioral responses in marine mammals exposed to anthropogenic sound.
They found a significant relationship between source type and
behavioral response when sources were split into broad categories that
reflected whether sources were continuous, sonar, or seismic (the
latter two of which are intermittent sources). Moreover, while Gomez et
al. (2017) acknowledges acoustically sensitive species (beaked whales
and harbor porpoise), the authors do not recommend an alternative
method for categorizing sound sources for these species when assessing
behavioral impacts from noise exposure.
To apply the continuous 120 dB threshold to all species based on
data from known acoustically sensitive species (one species of which is
the harbor porpoise which is likely to be rarely encountered in the ARA
and do not inhabit the GOMRA or CRA) is not warranted as it would be
unnecessarily conservative for non-sensitive species. Qualitatively
considered in our effects analysis below is that beaked whales and
harbor porpoise are more acoustically sensitive than other cetacean
species, and thus are more likely to demonstrate overt changes in
behavior when exposed to such sources. Further, in absence of very
sophisticated acoustic modeling, our propagation rates are also
conservative. Therefore, the distance to the 160 dB threshold is likely
much closer to the source than calculated. In summary, the SEFSC's
proposed activity includes the use of intermittent sources (scientific
sonar). Therefore, the 160 dB re 1 [mu]Pa (rms) threshold is applicable
when quantitatively estimating take by Level B harassment incidental to
SEFSC scientific sonar for all marine mammal species.
Level A harassment for non-explosive sources--NMFS' Technical
Guidance for Assessing the Effects of Anthropogenic Sound on Marine
Mammal Hearing (Technical Guidance, 2018) identifies dual criteria to
assess auditory injury (Level A harassment) to five different marine
mammal groups (based on hearing sensitivity) as a result of exposure to
noise from two different types of sources (impulsive or non-impulsive).
However, as described in greater detail in the Potential Effects of
Specified Activities on Marine Mammals and their Habitat section, given
the highly directional beam, NMFS does not anticipate animals would be
exposed to noise levels resulting in PTS. Therefore, the Level A
criteria do not apply here and are not discussed further; NMFS is
proposing take by Level B harassment only.
The operating frequencies of active acoustic systems used by the
SEFSC sources range from 18-333 kHz (see Table 2). These frequencies
are within the very upper hearing range limits of baleen whales (7 Hz
to 35 kHz). The Simrad EK60 may operate at frequency of 18 kHz which is
the only frequency that might be detectable by baleen whales. However,
the beam pattern is extremely narrow (11 degrees) at that frequency.
The Simrad ME70 echosounder, EQ50, and Teledyne RD ADCP operate at 50-
200 kHz which are all outside of baleen whale hearing capabilities.
Therefore, we would not expect any exposures to these signals to result
in Level B harassment. The Simrad EK60 lowest operating frequency (18
kHz) is within baleen whale hearing capabilities.
The assessment paradigm for active acoustic sources used in SEFSC
fisheries research mirrors approaches by other NMFS Science Centers
applying for regulations. It is relatively straightforward and has a
number of key simple and conservative assumptions. NMFS' current
acoustic guidance requires in most cases that we assume Level B
harassment occurs when a marine mammal receives an acoustic signal at
or above a simple step-function threshold. For use of these active
acoustic systems used during SEFSC research, NMFS uses the threshold is
160 dB re 1 [mu]Pa (rms) as the best available science indicates the
temporal characteristics of a source are most influential in
determining behavioral impacts (Gomez et al., 2016), and it is NMFS'
long standing practice to apply the 160 dB threshold to intermittent
sources. Estimating the number of exposures at the specified received
level requires several determinations, each of which is described
sequentially below:
(1) A detailed characterization of the acoustic characteristics of
the effective sound source or sources in operation;
(2) The operational areas exposed to levels at or above those
associated with Level B harassment when these sources are in operation;
(3) A method for quantifying the resulting sound fields around
these sources; and
(4) An estimate of the average density for marine mammal species in
each area of operation.
Quantifying the spatial and temporal dimension of the sound
exposure footprint (or ``swath width'') of the active acoustic devices
in operation on moving vessels and their relationship to the average
density of marine mammals enables a quantitative estimate of the number
of individuals for which sound levels exceed the relevant threshold for
each area. The number of potential incidents of Level B harassment is
ultimately estimated as the product of the volume of water ensonified
at 160 dB rms or higher and the volumetric density of animals
determined from simple assumptions about their vertical stratification
in the water column. Specifically, reasonable assumptions based on what
is known about diving behavior across different marine mammal species
were made to segregate those that predominately remain in the upper 200
m of the water column, versus those that regularly dive deeper during
foraging and transit. Methods for estimating each of these calculations
are described in greater detail in the following sections, along with
the simplifying assumptions made, and followed by the take estimates.
Sound source characteristics--An initial characterization of the
general source parameters for the primary active acoustic sources
operated by the SEFSC was conducted, enabling a full assessment of all
sound sources used by the SEFSC and delineation of Category 1 and
Category 2 sources, the latter of which were carried forward for
analysis here. This auditing of the active acoustic sources also
enabled a determination of the predominant sources that, when operated,
would have sound footprints exceeding those from any other
simultaneously used sources. These sources were effectively those used
directly in acoustic propagation modeling to estimate the zones within
which the 160 dB rms received level would occur.
Many of these sources can be operated in different modes and with
different output parameters. In modeling their potential impact areas,
those features among those given previously in Table 2 (e.g., lowest
operating frequency) that would lead to the most precautionary estimate
of maximum received level ranges (i.e., largest ensonified area) were
used. The effective beam patterns took into account the normal modes in
which these sources are typically operated. While these signals are
brief and
[[Page 27053]]
intermittent, a conservative assumption was taken in ignoring the
temporal pattern of transmitted pulses in calculating Level B
harassment events. Operating characteristics of each of the predominant
sound sources were used in the calculation of effective line-kilometers
and area of exposure for each source in each survey (Table 9).
Table 9--Effective Exposure Areas for Predominant Acoustic Sources
Across Two Depth Strata
------------------------------------------------------------------------
Effective
exposure area:
Effective Sea surface to
exposure area: depth at which
Active acoustic system Sea surface to 160-dB
200 m depth threshold is
(km\2\) reached
(km\2\)
------------------------------------------------------------------------
Simrad EK60 narrow beam echosounder..... 0.0142 0.1411
Simrad ME70 multibeam echosounder....... 0.0201 0.0201
Teledyne RD Instruments ADCP, Ocean 0.0086 0.0187
Surveyor...............................
Simrad ITI trawl monitoring system...... 0.0032 0.0032
------------------------------------------------------------------------
Calculating effective line-kilometers--As described below, based on
the operating parameters for each source type, an estimated volume of
water ensonified at or above the 160 dB rms threshold was calculated.
In all cases where multiple sources are operated simultaneously, the
one with the largest estimated acoustic footprint was considered to be
the effective source. Two depth zones were defined for each research
area: a Continental Shelf Region defined by having bathymetry 0-200 m
and an Offshore Region with bathymetry >200 m. Effective line distance
and volume insonified was calculated for each depth stratum (0-200 m
and > 200 m), where appropriate (i.e. in the Continental Shelf region,
where depth is <200 m, only the exposure area for the 0-200 m depth
stratum was calculated). In some cases, this resulted in different
sources being predominant in each depth stratum for all line km when
multiple sources were in operation. This was accounted for in
estimating overall exposures for species that utilize both depth strata
(deep divers). For each ecosystem area, the total number of line km
that would be surveyed was determined, as was the relative percentage
of surveyed linear km associated with each source. The total line km
for each vessel, the effective portions associated with each of the
dominant sound types, and the effective total km for operation for each
sound type is given in Tables 6-8a and 6-8b in SEFSC's application. In
summary, line transect kms range from 1149 to 3352 in the ARA and
16,797 to 30,146 km with sources operating 20-100 percent of the time
depending on the source.
Calculating volume of water ensonified--The cross-sectional area of
water ensonified to a 160 dB rms received level was calculated using a
simple spherical spreading model of sound propagation loss (20 log R)
such that there would be 60 dB of attenuation over 1000 m. The
spherical spreading model accounted for the frequency dependent
absorption coefficient and the highly directional beam pattern of most
of these sound sources. For absorption coefficients, the most commonly
used formulas given by Francois and Garrison (1982) were used. The
lowest frequency was used for systems that are operated over a range of
frequencies. The vertical extent of this area is calculated for two
depth strata (surface to 200 m, and for deep water operations >200 m,
surface to range at which the on-axis received level reaches 160 dB
RMS). This was applied differentially based on the typical vertical
stratification of marine mammals (see Tables 6-9 and 6-10 in SEFSC's
application).
For each of the three predominant sound sources, the volume of
water ensonified is estimated as the cross-sectional area (in square
kilometers) of sound at or above 160 dB rms multiplied by the total
distance traveled by the ship (see Table 6a and 6b in SEFSC's
application). Where different sources operating simultaneously would be
predominant in each different depth strata (e.g., ME70 and EK60
operating simultaneously may be predominant in the shallow stratum and
deep stratum, respectively), the resulting cross-sectional area
calculated took this into account. Specifically, for shallow-diving
species this cross-sectional area was determined for whichever was
predominant in the shallow stratum, whereas for deeper-diving species,
this area was calculated from the combined effects of the predominant
source in the shallow stratum and the (sometimes different) source
predominating in the deep stratum. This creates an effective total
volume characterizing the area ensonified when each predominant source
is operated and accounts for the fact that deeper-diving species may
encounter a complex sound field in different portions of the water
column.
Marine mammal densities--One of the primary limitations to
traditional estimates of Level B harassment from acoustic exposure is
the assumption that animals are uniformly distributed in time and space
across very large geographical areas, such as those being considered
here. There is ample evidence that this is in fact not the case, and
marine species are highly heterogeneous in terms of their spatial
distribution, largely as a result of species-typical utilization of
heterogeneous ecosystem features. Some more sophisticated modeling
efforts have attempted to include species-typical behavioral patterns
and diving parameters in movement models that more adequately assess
the spatial and temporal aspects of distribution and thus exposure to
sound (e.g., Navy, 2013). While simulated movement models were not used
to mimic individual diving or aggregation parameters in the
determination of animal density in this estimation, the vertical
stratification of marine mammals based on known or reasonably assumed
diving behavior was integrated into the density estimates used.
The marine mammal abundance estimates used for the ARA and GOM were
obtained from Stock Assessment Reports for the Atlantic and the Gulf of
Mexico ecosystem areas (Waring et al. 2012, 2013, 2014, and 2015), and
the best scientific information available to SEFSC staff. We note
abundances for cetacean stocks in western North Atlantic U.S. waters
are the combined estimates from surveys conducted by the NMFS Northeast
Fisheries Science Center (NEFSC) from central Virginia to
[[Page 27054]]
the lower Bay of Fundy and surveys conducted by the SEFSC from central
Virginia to central Florida. The SEFSC primary area of research is
south of central Virginia. Therefore, densities are based on abundance
estimates from central Virginia to central Florida and are reported in
the stock assessment report for each stock. For example, the fin whale
abundance estimate for the stock is 1,618. However, most of those
animals occur in the northeast with only about 23 individuals in the
southeast where SEFSC would occur. Therefore, an abundance estimate of
23 was used to estimate density. Density estimates in areas where a
species is known to occur, but where published density data is absent,
were calculated based on values published for the species in adjacent
regions by analogy and SEFSC expertise. For example, in the CRA there
are records of marine mammal species occurrence (e.g., Mignucci-
Giannoni 1998, Roden and Mullin 2000). However, area specific abundance
estimates are unavailable so the density estimates for the GOMRA were
used as proxies where appropriate to estimate acoustic take in the CRA.
There are a number of caveats associated with these estimates:
(1) They are often calculated using visual sighting data collected
during one season rather than throughout the year. The time of year
when data were collected and from which densities were estimated may
not always overlap with the timing of SEFSC fisheries surveys (detailed
previously in Detailed Description of Activities).
(2) The densities used for purposes of estimating acoustic
exposures do not take into account the patchy distributions of marine
mammals in an ecosystem, at least on the moderate to fine scales over
which they are known to occur. Instead, animals are considered evenly
distributed throughout the assessed area, and seasonal movement
patterns are not taken into account.
In addition, and to account for at least some coarse differences in
marine mammal diving behavior and the effect this has on their likely
exposure to these kinds of often highly directional sound sources, a
volumetric density of marine mammals of each species was determined.
This value is estimated as the abundance averaged over the two-
dimensional geographic area of the surveys and the vertical range of
typical habitat for the population. Habitat ranges were categorized in
two generalized depth strata (0-200 m and 0 to greater than 200 m)
based on gross differences between known generally surface-associated
and typically deep-diving marine mammals (e.g., Reynolds and Rommel,
1999; Perrin et al., 2009). Animals in the shallow-diving stratum were
assumed, on the basis of empirical measurements of diving with
monitoring tags and reasonable assumptions of behavior based on other
indicators, to spend a large majority of their lives (i.e., greater
than 75 percent) at depths shallower than 200 m. Their volumetric
density and thus exposure to sound is therefore limited by this depth
boundary. In contrast, species in the deeper-diving stratum were
assumed to regularly dive deeper than 200 m and spend significant time
at these greater depths. Their volumetric density, and thus potential
exposure to sound at or above the 160 dB rms threshold, is extended
from the surface to the depth at which this received level condition
occurs (i.e., corresponding to the 0 to greater than 200 m depth
stratum).
The volumetric densities are estimates of the three-dimensional
distribution of animals in their typical depth strata. For shallow-
diving species, the volumetric density is the area density divided by
0.2 km (i.e., 200 m). For deeper diving species, the volumetric density
is the area density divided by a nominal value of 0.5 km (i.e., 500 m).
The two-dimensional and resulting three-dimensional (volumetric)
densities for each species in each ecosystem area are provided in Table
10.
Table 10--Abundances and Volumetric Densities Calculated for Each Species in SEFSC Research Areas Used in Take Estimation
--------------------------------------------------------------------------------------------------------------------------------------------------------
Typical dive depth Continental
strata Continental shelf area Offshore area
Species \1\ Abundance ------------------------ shelf area \2\ Offshore area \3\ volumetric volumetric density (#/
density (#/ density (#/km\2\) density (#/ km\3\)
0-200 m >200 m km\2\) km\3\)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Atlantic Research Area \4\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Fin whale...................... 23............... X .......... .............. 0.00005............. .............. 0.00025
Sperm whale.................... 695.............. .......... X .............. 0.00148............. .............. 0.00296
Pygmy/dwarf sperm whales \5\... 2,002............ .......... X .............. 0.00426............. .............. 0.00852
False killer whale............. 442.............. X .......... .............. 0.00094............. .............. 0.00470
Beaked whales \5\.............. 3,163............ .......... X .............. 0.00673............. .............. 0.01346
Risso's dolphin................ 3,053............ X .......... .............. 0.00650............. .............. 0.03248
Short-finned pilot whale....... 16,964........... .......... X .............. 0.03610............. .............. 0.07219
Short-beaked common dolphin.... 2,993............ X .......... .............. 0.00637............. .............. 0.03184
Atlantic spotted dolphin....... 17,917........... X .......... 0.39209 0.03812............. 1.96043 0.19062
Pantropical spotted dolphin.... 3,333............ X .......... .............. 0.00709............. .............. 0.03546
Striped dolphin................ 7,925............ X .......... .............. 0.01686............. .............. 0.08431
Rough-toothed dolphin.......... 271.............. X .......... .............. 0.00058............. .............. 0.00288
Bottlenose dolphin............. 50,766 X .......... 0.25006 0.10802............. 1.25028 0.54010
(offshore);
31,212 (cont.
shelf).
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gulf of Mexico Research Area
--------------------------------------------------------------------------------------------------------------------------------------------------------
Bryde's whale.................. 33............... X .......... .............. 0.00011............. .............. 0.00054
Sperm whale.................... 763.............. .......... X .............. 0.00438............. .............. 0.00876
Pygmy/dwarf sperm whales \5\... 184.............. .......... X .............. 0.01857............. .............. 0.00101
Pygmy killer whale............. 152.............. X .......... .............. 0.00080............. .............. 0.00400
[[Page 27055]]
False killer whale............. Unk.............. X .......... .............. 0.00086............. .............. 0.00432
Beaked whales \5\ \6\.......... 149.............. .......... X .............. 0.00925............. .............. 0.00081
Melon-headed whale............. 2,235............ X .......... .............. 0.00487............. .............. 0.02434
Risso's dolphin................ 2,442............ X .......... .............. 0.00523............. .............. 0.02613
Short-finned pilot whale....... 2,415............ .......... X .............. 0.00463............. .............. 0.00925
Atlantic spotted dolphin \7\... 37,611........... X .......... 0.09971 unk................. 0.49854 Unk
Pantropical spotted dolphin.... 50,880........... X .......... .............. 0.09412............. .............. 0.47062
Striped dolphin................ 1,849............ X .......... .............. 0.00735............. .............. 0.03677
Rough-toothed dolphin.......... 624.............. X .......... 0.00401 0.00664............. 0.02006 0.03322
Clymene dolphin \8\............ 129.............. X .......... .............. 0.00907............. .............. 0.04537
Spinner dolphin................ 11,441........... X .......... .............. 0.01888............. .............. 0.09439
Bottlenose dolphin............. 5,806 (oceanic); X .......... 0.29462 0.02347............. 1.47311 0.11735
51,192 (cont.
shelf).
--------------------------------------------------------------------------------------------------------------------------------------------------------
Caribbean Research Area \9\
--------------------------------------------------------------------------------------------------------------------------------------------------------
Sperm whale.................... 763.............. .......... X na 0.00438............. na 0.008761
Pygmy/dwarf sperm whales \5\ 186.............. .......... X na 0.01857............. na 0.00101
\6\.
Killer whale................... 184.............. X .......... na 0.00000............. na 0
Pygmy killer whale............. 152.............. X .......... na 0.00080............. na 0.003998
False killer whale............. Unk.............. X .......... na 0.00086............. na 0.004324
Beaked whales \5\ \6\.......... 149.............. .......... X na 0.00925............. na 0.00081
Melon-headed whale............. 2,235............ X .......... na 0.00487............. na 0.024343
Risso's dolphin................ 2,442............ X .......... na 0.00523............. na 0.026132
Short-finned pilot whale....... 2,415............ .......... X na 0.00463............. na 0.009255
Pantropical spotted dolphin.... 50,880........... X .......... na 0.09412............. na 0.470615
Striped dolphin................ 1,849............ X .......... na 0.00735............. na 0.036771
Fraser's dolphin............... ................. X .......... na 0.00000............. na 0
Rough-toothed dolphin.......... 624.............. X .......... na 0.00664............. na 0.03322
Clymene dolphin................ 129.............. X .......... na 0.00907............. na 0.045365
Spinner dolphin................ 11,441........... X .......... Na 0.01888............. na 0.094389
Bottlenose dolphin............. 5,806 (oceanic); X .......... Na 0.02347............. na 0.117349
51,192 (cont.
shelf).
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Those species known to occur in the ARA and GOMRA with unknown volumetric densities have been omitted from this table. Those omitted include: For
the ARA--North Atlantic right whale, blue whale, sei whale, minke whale, humpback whale, melon-headed whale, killer whale, pygmy killer whale, long-
finned pilot whale, Fraser's dolphin, spinner dolphin, Clymene dolphin, harbor porpoise, gray seal, and harbor seal; for the GOMRA--killer whale,
Fraser's dolphin, humpback whale and minke whale. This does not mean they were all omitted for take as proxy species provided in this table were used
to estimate take, where applicable.
\2\ Continental shelf area means 0-200 m bottom depth.
\3\ Offshore area means 200 m bottom depth.
\4\ Abundances for cetacean stocks in western North Atlantic U.S. waters are the combined estimates from surveys conducted by the NEFSC from central
Virginia to the lower Bay of Fundy and surveys conducted by the SEFSC from central Virginia to central Florida. The SEFSC primary area of research is
south of central Virginia. Therefore, acoustic take estimates are based on abundance estimates from central Virginia to central Florida and are
reported in the stock assessment report for each stock. However, these acoustic takes are compared to the abundance for the entire stock.
\5\ Density estimates are based on the estimates of dwarf and pygmy sperm whale SAR abundances and the combined abundance estimates of all beaked whales
(Mesoplodon spp. + Cuvier's beaked whale). These groups are cryptic and difficult to routinely identify to species in the field.
\6\ Data from acoustic moorings in the Gulf of Mexico suggest that both beaked whales and dwarf/pygmy sperm whales are much more abundant than visual
surveys suggest. Therefore, acoustic take estimates for these groups were based on abundance estimates extrapolated from acoustic mooring data (DWH-
NRDAT 2016).
\7\ The most reasonable estimate Atlantic spotted dolphin abundance is in the Gulf of Mexico is based on ship surveys of continental shelf waters
conducted from 2000-2001. In the Gulf of Mexico, the continental shelf is the Atlantic spotted dolphin's primary habitat. Ship surveys have not been
conducted in shelf waters since 2001.
\8\ Three previous abundance estimates for the Clymene dolphin in the Gulf of Mexico were based on surveys conducted over several years, and estimates
ranged from 5,000 to over 17,000 dolphins. The current estimate is based on one survey in 2009 from the 200 m isobaths to the EEZ and is probably
negatively biased.
\9\ Estimates for the CRA are based on proxy values taken from the GOMRA where available and appropriate. Species omitted due to lack of data were
humpback whale, minke whale, Bryde's whale, and Atlantic spotted dolphin.
Using area of ensonification and volumetric density to estimate
exposures--Estimates of potential incidents of Level B harassment
(i.e., potential exposure to levels of sound at or exceeding the 160 dB
rms threshold) are then calculated by using (1) the combined results
from output characteristics of each source and identification of the
predominant sources in terms of acoustic output; (2) their relative
annual usage patterns for
[[Page 27056]]
each operational area; (3) a source-specific determination made of the
area of water associated with received sounds at either the extent of a
depth boundary or the 160 dB rms received sound level; and (4)
determination of a volumetric density of marine mammal species in each
area. Estimates of Level B harassment by acoustic sources are the
product of the volume of water ensonified at 160 dB rms or higher for
the predominant sound source for each portion of the total line-
kilometers for which it is used and the volumetric density of animals
for each species. However, in order to estimate the additional volume
of ensonified water in the deep stratum, the SEFSC first subtracted the
cross-sectional ensonified area of the shallow stratum (which is
already accounted for) from that of the deep stratum. Source- and
stratum-specific exposure estimates are the product of these ensonified
volumes and the species-specific volumetric densities (Table 11). The
general take estimate equation for each source in each depth statrum is
density * (ensonified volume * linear kms). If there are multiple
sources of take in both depth stata, individual take estimates were
summed. To illustrate, we use the ME70 and the pantropical spotted
dolphin, which are found only in the 0-200 m depth stratum, as an
example:
(1) ME70 ensonified volume (0-200 m) = 0.0201 km\2\.
(2) Total Linear kms = 1794 km (no pantropical spotted dolphins are
found on the shelf so those trackline distances are not included here).
(3) Pantropical spotted dolphin density (0-200 m) = 0.47062
dolphins/km\3\.
(4) Estimated exposures to sound >= 160 dB rms = 0.47062
pantropical spotted dolphin/km\3\ * (0.0201 km\2\ * 1794 km) = 16.9
(rounded up) = 17 estimated pantropical spotted dolphin exposures to
SPLs >= 160 dB rms resulting from use of the ME70.
Table 11--Estimated Source-, Stratum-, and Species-Specific Annual Estimates of Level B Harassment
--------------------------------------------------------------------------------------------------------------------------------------------------------
Estimated level B harassment (#s of animals) Estimated level B harassment
in 0-200 m dive depth stratum in >200 m dive depth stratum Total
Species \1\ -------------------------------------------------------------------------------- calculated
EK60 ME70 EQ50 EK60 EQ50 take
--------------------------------------------------------------------------------------------------------------------------------------------------------
Atlantic Continental Shelf
--------------------------------------------------------------------------------------------------------------------------------------------------------
Bottlenose dolphin...................................... 67.00 21.43 21.43 0.00 0.00 110
--------------------------------------------------------------------------------------------------------------------------------------------------------
Atlantic Offshore
--------------------------------------------------------------------------------------------------------------------------------------------------------
Fin whale............................................... 0.02 0.00 0.00 0.00 0.00 1
Sperm whale............................................. 0.18 0.02 0.01 1.75 0.00 2
Pygmy/dwarf sperm whales................................ 0.52 0.06 0.02 5.03 0.00 6
False killer whale...................................... 0.29 0.03 0.01 0.00 0.00 1
Beaked whales........................................... 0.83 0.09 0.03 7.95 0.00 9
Risso's dolphin......................................... 2.00 0.21 0.08 0.00 0.00 3
Short-finned pilot whale................................ 4.43 0.48 0.17 42.65 0.00 48
Short-beaked common dolphin............................. 1.96 0.21 0.07 0.00 0.00 3
Atlantic spotted dolphin................................ 11.71 1.26 0.45 0.00 0.00 14
Pantropical spotted dolphin............................. 2.18 0.23 0.08 0.00 0.00 3
Striped dolphin......................................... 5.18 0.56 0.20 0.00 0.00 6
Rough-toothed dolphin................................... 0.18 0.02 0.01 0.00 0.00 1
Bottlenose dolphin...................................... 33.18 3.57 1.27 0.00 0.00 39
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gulf of Mexico Continental Shelf
--------------------------------------------------------------------------------------------------------------------------------------------------------
Atlantic spotted dolphin................................ 161.80 12.95 22.75 0.00 0.00 198
Bottlenose dolphin...................................... 269.16 21.55 37.84 0.00 0.88 329
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gulf of Mexico Offshore
--------------------------------------------------------------------------------------------------------------------------------------------------------
Bryde's whale........................................... 0.23 0.02 0.01 0.00 0.00 1
Sperm whale............................................. 1.58 00.15 0.06 15.04 0.06 17
Pygmy/dwarf sperm whales................................ 0.38 0.04 0.01 3.66 0.01 5
Pygmy killer whale...................................... 0.79 0.07 0.03 0.00 0.00 1
False killer whale...................................... 1.63 0.15 0.06 0.00 0.00 2
Beaked whales........................................... 0.31 0.03 0.01 2.93 0.01 4
Melon-headed whale...................................... 11.55 1.09 0.41 0.00 0.00 13
Risso's dolphin......................................... 15.78 1.49 0.55 0.00 0.00 18
Short-finned pilot whale................................ 4.99 0.47 0.18 0.00 0.00 4
Pantropical spotted dolphin............................. 179.45 16.97 6.31 0.00 0.00 203
Striped dolphin......................................... 14.02 1.33 0.49 0.00 0.00 16
Rough-toothed dolphin................................... 3.23 0.30 0.11 0.00 0.00 4
Clymene dolphin......................................... 0.67 0.06 0.02 0.00 0.00 1
Spinner dolphin......................................... 59.13 5.59 2.08 0.00 0.00 67
Bottlenose dolphin...................................... 44.75 4.23 1.57 0.00 0.00 51
--------------------------------------------------------------------------------------------------------------------------------------------------------
Caribbean Offshore
--------------------------------------------------------------------------------------------------------------------------------------------------------
Sperm whale............................................. 0.18 0.01 0.00 1.66 0.00 2
Pygmy/dwarf sperm whales................................ 0.38 0.04 0.01 3.66 0.01 5
Pygmy killer whale...................................... 0.09 0.00 0.00 0.00 0.00 1
False killer whale...................................... 0.19 0.00 0.00 0.00 0.00 1
[[Page 27057]]
Beaked whales........................................... 0.31 0.03 0.01 2.93 0.01 4
Melon-headed whale...................................... 1.34 0.03 0.01 0.00 0.00 2
Risso's dolphin......................................... 1.83 0.04 0.02 0.00 0.00 2
Short-finned pilot whale................................ 0.58 0.01 0.01 0.00 0.00 1
Pantropical spotted dolphin............................. 20.80 0.50 0.23 0.00 0.00 22
Striped dolphin......................................... 1.63 0.04 0.02 0.00 0.00 2
Rough-toothed dolphin................................... 1.47 0.04 0.02 0.00 0.00 1
Clymene dolphin......................................... 0.08 0.05 0.02 0.00 0.00 1
Spinner dolphin......................................... 6.85 0.16 0.07 0.00 0.00 8
Bottlenose dolphin...................................... 5.19 0.12 0.06 0.00 0.00 6
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Those species known to occur in the ARA and GOMRA with unknown volumetric densities have been omitted from this table. Those omitted include: For
the ARA--North Atlantic right whale, blue whale, sei whale, minke whale, humpback whale, melon-headed whale, killer whale, pygmy killer whale, long-
finned pilot whale, Fraser's dolphin, spinner dolphin, Clymene dolphin, harbor porpoise, gray seal, and harbor seal; for the GOMRA--killer whale,
Fraser's dolphin, humpback whale and minke whale. This does not mean they were all omitted for take as proxy species provided in this table were used
to estimate take, where applicable.
In some cases, the calculated Level B take estimates resulted in
low numbers of animals which are known to be gregarious or travel in
group sizes larger than the calculated take estimate. In those cases,
we have adjusted the requested take to reflect those groups sizes (see
take column in Table 12).
Table 12--Calculated and Authorized Level B Take Estimates
----------------------------------------------------------------------------------------------------------------
Avg. group size 1
Common name MMPA stock Calculated take Authorized take
----------------------------------------------------------------------------------------------------------------
Fin whale..................... Western North 1.................. 2.................. 4
Atlantic.
Blue whale.................... Western North N/A 2.............. 2.................. 4
Atlantic.
N. Atlantic right whale....... Western North N/A 2.............. 2.................. 4
Atlantic.
Sei whale..................... Western North N/A 1.............. 2.................. 4
Atlantic.
Bryde's whale................. Northern Gulf of 1.................. 2.................. 4
Mexico.
Humpback whale................ Gulf of Maine.... ................... 2.................. 4
Sperm whale................... North Atlantic... 2.................. 2.1................ 4
Northern Gulf of 17................. 2.6................ 17
Mexico.
Puerto Rico and 4.................. unk................ 4
US Virgin
Islands.
Pygmy/dwarf sperm whale 1..... Western North 6.................. 1.9................ 10
Atlantic.
Northern Gulf of 5.................. 2.................. 6
Mexico.
Northern Gulf of 5.................. 2.................. 6
Mexico (CRA).
Beaked whale 2................ Western North 9.................. 2.3................ 9
Atlantic.
Northern Gulf of 4.................. 2.................. 4
Mexico (GOMRA).
Northern Gulf of 4.................. 2.................. 4
Mexico (CRA).
Melon-headed whales........... Northern Gulf of 13................. 99.6............... 100
Mexico.
Risso's dolphin............... Western North 3.................. 15.4............... 15
Atlantic.
Northern Gulf of 18................. 10.2............... 18
Mexico.
Puerto Rico and 2.................. 10.2............... 10
U.S. Virgin
Island.
Short-finned pilot whales..... Western North 48................. 16.6............... 48
Atlantic.
Northern Gulf of 6.................. 24.9............... 25
Mexico.
Puerto Rico and 1.................. unk................ 20
U.S. Virgin
Islands.
Common dolphin................ Western North 3.................. 267.2.............. 267
Atlantic.
Atlantic spotted dolphin...... Western North 14................. 37................. 37
Atlantic.
Northern Gulf of 198................ 22................. 198
Mexico.
Puerto Rico and unk................ unk................ 50
U.S. Virgin
Islands.
Pantropical spotted dolphin... Western North 4.................. 77.5............... 78
Atlantic.
Northern Gulf of 203................ 71.3............... 203
Mexico.
Striped dolphin............... Western North 6.................. 74.6............... 75
Atlantic.
Northern Gulf of 16................. 46.1............... 46
Mexico.
Bottlenose dolphin............ Western North 39................. 11.8............... 39
Atlantic
(offshore).
Western North 110................ 10................. 110
Atlantic
(coastal/
continental
shelf).
Northern Gulf of N/A 3.............. 10................. 350 3
Mexico (coastal).
Northern Gulf of 329................ 10................. 350
Mexico
(continental
shelf).
Northern Gulf of 51................. 20.6............... 100
Mexico (oceanic).
Puerto Rico and 6.................. unk................ 50
U.S. Virgin
Islands.
Rough-toothed dolphin......... Western North 1.................. 8.................. 10
Atlantic.
Northern Gulf of 4.................. 14.1............... 20
Mexico.
Clymene dolphin............... Western North 20................. 110................ 110
Atlantic.
Northern Gulf of 1.................. 89.5............... 100
Mexico.
Spinner dolphin............... Western North unk................ unk................ 100
Atlantic.
Northern Gulf of 16................. 151.5.............. 200
Mexico.
[[Page 27058]]
Puerto Rico and n/a................ unk................ 50
U.S. Virgin
Islands.
Pygmy killer whale............ Northern Gulf of 1.................. 18.5............... 20
Mexico.
False killer whale............ Western North 1.................. unk................ 20
Atlantic.
Northern Gulf of n/a................ 27.6............... 28
Mexico.
Harbor porpoise............... Gulf of Maine/Bay n/a................ 8 4................ 16
of Fundy.
----------------------------------------------------------------------------------------------------------------
1 Groups sizes based on Fulling et. al., 2003; Garrison et al., 2011; Mullin et al., 2003; and Mullin et al.,
2004.
2 Take estimates are based on take calculations using fin whales as a proxy.
3 We note the SEFSC's application did not request take, by Level B harassment, of bottlenose dolphins belonging
to coastal stocks. However, because surveys occur using scientific sonar in waters where coastal dolphins may
occur, we are proposing to issue the same amount of Level B take as requested for the continental shelf stock.
4 The American Cetacean Society reports average group size of harbor porpoise range from 6 to 10 individuals. We
propose an average group size of 8 for the ARA which is likely conservative given the low density of animals
off North Carolina. Given the short and confined spatio-temporal scale of SEFSC surveys in North Carolina
during winter months, we assume two groups per year could be encountered.
Mitigation
In order to issue an incidental take authorization under Section
101(a)(5)(A or D) of the MMPA, NMFS must set forth the permissible
methods of taking pursuant to such activity, ``and other means of
effecting the least practicable impact on such species or stock and its
habitat, paying particular attention to rookeries, mating grounds, and
areas of similar significance, and on the availability of such species
or stock for taking'' for certain subsistence uses. NMFS regulations
require applicants for incidental take authorizations to include
information about the availability and feasibility (economic and
technological) of equipment, methods, and manner of conducting such
activity or other means of effecting the least practicable adverse
impact upon the affected species or stocks and their habitat (50 CFR
216.104(a)(11)).
In evaluating how mitigation may or may not be appropriate to
ensure the least practicable adverse impact on species or stocks and
their habitat, as well as subsistence uses where applicable, we
carefully consider two primary factors:
(1) The manner in which, and the degree to which, the successful
implementation of the measure(s) is expected to reduce impacts to
marine mammals, marine mammal species or stocks, and their habitat.
This considers the nature of the potential adverse impact being
mitigated (likelihood, scope, range). It further considers the
likelihood that the measure will be effective if implemented
(probability of accomplishing the mitigating result if implemented as
planned), and the likelihood of effective implementation (probability
implemented as planned); and
(2) the practicability of the measures for applicant
implementation, which may consider such things as cost, impact on
operations, and, in the case of a military readiness activity,
personnel safety, practicality of implementation, and impact on the
effectiveness of the military readiness activity.
SEFSC Mitigation for Marine Mammals and Their Habitat
The SEFSC has invested significant time and effort in identifying
technologies, practices, and equipment to minimize the impact of the
proposed activities on marine mammal species and stocks and their
habitat. The mitigation measures discussed here have been determined to
be both effective and practicable and, in some cases, have already been
implemented by the SEFSC. In addition, the SEFSC is actively conducting
research to determine if gear modifications are effective at reducing
take from certain types of gear. Any potentially effective and
practicable gear modification mitigation measures will be discussed as
research results are available as part of the adaptive management
strategy included in this rule. As for other parts of this rule, all
references to the SEFSC, unless otherwise noted, include requirements
for all partner institutions identified in the SEFSC's application.
Coordination and communication--When SEFSC survey effort is
conducted aboard NOAA-owned vessels, there are both vessel officers and
crew and a scientific party. Vessel officers and crew are not composed
of SEFSC staff, but are employees of NOAA's Office of Marine and
Aviation Operations (OMAO), which is responsible for the management and
operation of NOAA fleet ships and aircraft and is composed of uniformed
officers of the NOAA Commissioned Corps as well as civilians. The
ship's officers and crew provide mission support and assistance to
embarked scientists, and the vessel's Commanding Officer (CO) has
ultimate responsibility for vessel and passenger safety and, therefore,
decision authority. When SEFSC-funded surveys are conducted aboard
cooperative platforms (i.e., non-NOAA vessels), ultimate responsibility
and decision authority again rests with non-SEFSC personnel (i.e.,
vessel's master or captain). Decision authority includes the
implementation of mitigation measures (e.g., whether to stop deployment
of trawl gear upon observation of marine mammals). The scientific party
involved in any SEFSC survey effort is composed, in part or whole, of
SEFSC staff and is led by a Chief Scientist (CS). Therefore, because
the SEFSC--not OMAO or any other entity that may have authority over
survey platforms used by the SEFSC--is the applicant to whom any
incidental take authorization issued under the authority of these
regulations would be issued, we require that the SEFSC take all
necessary measures to coordinate and communicate in advance of each
specific survey with OMAO, and other relevant parties, to ensure that
all mitigation measures and monitoring requirements described herein,
as well as the specific manner of implementation and relevant event-
contingent decision-making processes, are clearly understood and
agreed-upon. This may involve description of all required measures when
submitting cruise instructions to OMAO or when completing contracts
with external entities. The SEFSC will coordinate and conduct briefings
at the outset of each survey and, as necessary, between ship's crew
(CO/master or designee(s), as appropriate) and scientific party in
order to explain responsibilities, communication procedures, marine
mammal monitoring protocol, and operational procedures. SEFSC will also
coordinate as necessary on a daily basis during survey cruises with
OMAO personnel or other relevant personnel on non-NOAA platforms to
ensure that requirements, procedures, and decision-making processes are
understood and
[[Page 27059]]
properly implemented. The CS will be responsible for coordination with
the Officer on Deck (OOD; or equivalent on non-NOAA platforms) to
ensure that requirements, procedures, and decision-making processes are
understood and properly implemented.
For fisheries research being conducted by partner entities, it
remains the SEFSC's responsibility to ensure those partners are
communicating and coordinating with the SEFSC, receiving all necessary
marine mammal mitigation and monitoring training, and implementing all
required mitigation and monitoring in a manner compliant with the rule
and LOA. The SEFSC will incorporate specific language into its
contracts that specifies training requirements, operating procedures,
and reporting requirements for protected species that will be required
for all surveys conducted by research partners, including those
conducted on chartered vessels. To facilitate this requirement, SEFSC
would be required to hold at least one training per year with at least
one representative from each partner institution (preferably CSs of the
fishery independent surveys discussed in this rule) to review the
mitigation, monitoring and reporting requirements. The SEFSC would also
provide consistent, timely support throughout the year to address any
questions or concerns researchers may have regarding these measures.
SEFSC would also be required to establish and maintain cooperating
partner working group(s) to identify circumstances of a take should it
occur and any action necessary to avoid future take. Each working group
shall consist of at least one SEFSC representative knowledgeable of the
mitigation, monitoring and reporting requirements contained within
these regulations, one or more research institution or SEFSC
representative(s) (preferably researcher(s) aboard vessel when take or
risk of take occurred), one or more staff from NMFS Southeast Regional
OPRDivision, and one or more staff from NMFS OPR. At the onset of these
regulations, SEFSC shall maintain the recently established SCDNR
working group to identify actions necessary to reduce the amount of
take from SCDNR trawling. If a partner takes more than one marine
mammal within 5-years, other working groups shall be established to
identify circumstances of marine mammal take and necessary action to
avoid future take. Each working group shall meet at least once
annually. The SEFSC will maintain a centralized repository for all
working group findings to facilitate sharing and coordination.
While at sea, best professional judgement is used to determine if a
marine mammal is at risk of entanglement/hooking and, if so, what type
of actions should be taken to decrease risk of interaction. To improve
judgement consistency across the region, the SEFSC will initiate a
process for SEFSC and partner institution FPCs, SWLs, scientists, and
vessel captains and crew to communicate with each other about their
experiences with protected species interactions during research work,
with the goal of improving decision-making regarding avoidance of
adverse interactions. The SEFSC will host at least one training
annually (may be combined with other training requirements) to inform
decision-makers of various circumstances that may arise during surveys,
necessary action, and follow-up coordination and reporting of instances
of take or possible take. The intent of this new training program would
be to draw on the collective experience of people who have been making
those decisions, provide a forum for the exchange of information about
what went right and what went wrong, and try to determine if there are
any rules-of-thumb or key factors to consider that would help in future
decisions regarding avoidance practices. The SEFSC would coordinate,
not only among its staff and vessel captains and crew, but also with
those from other fisheries science centers, research partners, the
Southeast Regional Office, and other institutions with similar
experience.
The SEFSC will coordinate with the local Southeast Regional
Stranding Coordinator and the NMFS Stranding Coordinator for any
unusual protected species behavior and any stranding, beached live/
dead, or floating protected species that are encountered during field
research activities. If a large whale is alive and entangled in fishing
gear, the vessel will immediately call the U.S. Coast Guard at VHF Ch.
16 and/or the appropriate Marine Mammal Health and Stranding Response
Network for instructions. All entanglements (live or dead) and vessel
strikes must be reported immediately to the NOAA Fisheries Marine
Mammal Stranding Hotline at 1-877-433-8299.
General Fishing Gear Measures
The following measures describe mitigation application to all SEFSC
surveys while measures specific to gear types follow. SEFSC will take
all necessary measures to avoid marine mammal interaction with fishing
gear used during fishery research surveys. This includes implementing
the move-on rule (when applicable), meaning delaying setting gear when
marine mammals are observed at or approaching the sampling site, and
are deemed to be at-risk of becoming entangled or hooked on any type of
fishing gear, and immediately pulling gear from the water when marine
mammals are deemed to be at-risk of becoming entangled or hooked on any
type of fishing gear. SEFSC will, at all times, monitor for any unusual
circumstances that may arise at a sampling site and use best
professional judgment to avoid any potential risks to marine mammals
during use of all research equipment.
In some cases, marine mammals may be attracted to the vessel during
fishing. To avoid increased risk of interaction, the SEFSC will conduct
fishery research sampling as soon as practicable upon arriving at a
sampling station and prior to conducting environmental sampling. If
fishing operations have been suspended because of the presence of
marine mammals, SEFSC may resume fishing operations when interaction
with marine mammals is deemed unlikely. SEFSC may use best professional
judgment in making this determination. SEFSC shall coordinate with all
research partners, at least once annually, to ensure mitigation,
monitoring and reporting requirements, procedures and decision-making
processes contained within the regulations and LOA are understood. All
vessels must comply with applicable and relevant take reduction plans,
including any required soak time limits and gear length restrictions.
Trawl Mitigation Measures
The SEFSC and research partners use a variety of bottom trawl gears
for different research purposes. These trawl types include various
shrimp trawls (otter, western jib, mongoose, Falcon), high-opening
bottom trawls, and flat net bottom trawls (see Table 1-1 and Appendix A
in the DPEA). The SEFSC and its research partners also use modified
beam trawls and benthic trawls pulled by hand that are not considered
to pose a risk to protected species due to their small size and very
short tow durations. Therefore, these smaller, hand pulled trawls are
not subject to the mitigation measures provided here.
The following mitigation measures apply for trawl surveys:
Limit tow times to 30 minutes (except for sea turtle
research trawls);
open codend close to deck/sorting table during haul back
to avoid damage to animals that may be caught in gear
[[Page 27060]]
and empty gear as quickly as possible after retrieval haul back;
delay gear deployment if marine mammals are believed to be
at-risk of interaction;
retrieve gear immediately if marine mammals is believed to
be entangled or at-risk of entanglement;
implement marine mammal mitigation measures included in
the NMFS ESA Scientific Research permit under which a survey may be
operating;
dedicated marine mammal observations shall occur at least
15 minutes to beginning of net deployment; this watch may include
approach to the sampling station;
at least one scientist will monitor for marine mammals
while the trawl is deployed and upon haul-back;
minimize ``pocketing'' in areas of the net where dolphin
depredation evidence is commonly observed;
continue investigation into gear modifications (e.g.,
stiffening lazy lines) and the effectiveness of gear modification; and
reduce vessel speed and/or implement appropriate course
alteration.
In 2008, standard tow durations for fishery bottom trawl surveys
were reduced from 55 minutes to 30 minutes or less at target depth
(excluding deployment and retrieval time). These short tow durations
decrease the opportunity for curious marine mammals to find the vessel
and investigate. Tow times are less than the 55 minute tow time
restriction required for commercial shrimp trawlers not using turtle
excluder devices (TEDs) (50 CFR 223.206). The resulting tow distances
are typically one to two nm or less, depending on the survey and trawl
speed. Short tow times reduce the likelihood of entangling protected
species.
The move-on rule will be applied to all oceanic deep water trawls
if sightings occur anywhere around vessel (within 2 nm) during a 30
minute pre-gear deployment monitoring timeframe. Vessels will move away
if animals appear at risk or trawling will be delayed until marine
mammals have not been sighted for 30 minutes or otherwise determined to
no longer be at risk. If animals are still at risk after moving or 30
minutes have lapsed, the vessel will move again or the station will be
skipped.
Bottom trawl surveys conducted for purposes of researching gears
designed to reduce sea turtle interaction (e.g., turtle exclusion
device (TED) testing) and develop finfish bycatch mitigation measures
for commercial trawl fisheries may have tow times of up to 4 hours.
These exceptions to the short tow duration protocols are necessary to
meet research objectives. TEDs are used in nets that are towed in
excess of 55 minutes as required by 50 CFR 223.206. When research
objectives prevent the installation of TEDs, tow time limits will match
those set by commercial fishing regulations such as the skimmer trawl
fishery which has a 55 minute tow time limit. This research is covered
under the authority of the ESA and the regulations governing the
taking, importing, and exporting of endangered and threatened species
(50 CFR parts 222-226). The SEFSC began using skimmer trawls in their
TED testing in 2012. Mitigation measures in Scientific Research permit
20339, issued May 23, 2017, include:
Trawling must not be initiated when marine mammals (except
dolphins or porpoises) are observed within the vicinity of the
research, and the marine mammals must be allowed to either leave or
pass through the area safely before trawling is initiated;
Researchers must make every effort to prevent interactions
with marine mammals, and researchers must be aware of the presence and
location of these animals at all times as they conduct trawling
activities;
During skimmer trawl surveys, a minimum of two staff, one
on each side (port/starboard) of the vessel, must inspect the gear
every 5 minutes to monitor for the presence of marine mammals;
Prior to retrieving the skimmer trawl tail bags, the
vessel must be slowed from the active towing speed to 0.5-1.0 kn;
If a marine mammal enters the net, becomes entangled or
dies, researchers must (a) Stop trawling activities and immediately
free the animal, (b) notify the appropriate NMFS Regional Stranding
Coordinator as soon as possible and (c) report the incident (permitted
activities will be suspended until the Permits Division has granted
approval to continue research); and
Video monitoring of the TED must be used when trawling
around Duck, North Carolina, to reduce take of Atlantic sturgeon
(although this requirement is not geared toward marine mammals, the
camera feed can be used to observe marine mammals to inform decisions
regarding implementing mitigation).
The SEFSC also holds an ESA-research permit to assess sea turtle
abundance, stock identification, life history, and impacts of human
activities; determine sea turtle movements, fine-scale habitat
characteristics and selection, and delineation of foraging and nursery
areas; and examine how sea turtle distributions correlate with temporal
trends and environmental data (Scientific Research Permit 16733-04).
That research permit includes a number of marine mammal conditions that
must be followed and are incorporated into this rule by reference:
Trawl tow times must not exceed 30 minutes (bottom time)
except in cases when the net is continuously monitored with a real-time
video camera or multi-beam sonar system;
Haul back must begin once a sea turtle or marine mammal
enters the net regardless of time limits;
Seine net pulls must not exceed 45 minutes as part of a 2-
hour deployment;
Nets must not be put in the water and trawls must not be
initiated when marine mammals are observed within the vicinity of the
research;
Marine mammals must be allowed to either leave or pass
through the area safely before net setting or trawling is initiated;
Researchers must make every effort to prevent interactions
with marine mammals;
Researchers must be aware of the presence and location of
these animals at all times as they conduct activities;
During skimmer trawl surveys, a minimum of two staff, one
on each side (port/starboard) of the vessel, must inspect the gear
every five minutes to monitor for the presence of marine mammals;
Prior to retrieving the skimmer trawl tail bags, the
vessel must be slowed from the active towing speed to 0.5-1.0 kn;
Should marine mammals enter the research area after the
seine or tangle nets have been set, the lead line must be raised and
dropped in an attempt to make marine mammals in the vicinity aware of
the net;
If marine mammals remain within the vicinity of the
research area, tangle or seine nets must be removed; and
If a marine mammal enters the trawl net, becomes entangled
or captured, researchers must stop activities and immediately free the
animal, notify the NMFS Southeast Regional Stranding Coordinator as
soon as possible, report the incident within 2 weeks and, in addition
to the written report, the Permit Holder must contact the Permits
Division.
Other mitigation measures are included in research permit 16733-04
that are designed for sea turtles but also have benefits to minimizing
entanglement of marine mammals. These include:
[[Page 27061]]
Highly visible buoys must be attached to the float line of
each net and be spaced at intervals of 10 mor less. Nets must be
checked at intervals of less than 30 minutes, and more frequently
whenever turtles or other organisms are observed in the net. If water
temperatures are <= 10oC or >= 30oC, nets must be checked at less than
20-minute intervals (``net checking'' is defined as a complete and
thorough visual check of the net either by snorkeling the net in clear
water or by pulling up on the top line such that the full depth of the
net is viewed along the entire length). The float line of all nets must
be observed at all times for movements that indicate an animal has
encountered the net (when this occurs the net must be immediately
checked). During diver-assisted gear evaluations (SEFSC Small Turtle
TED Testing and Gear Evaluations), dive teams are deployed on the
trawls while they are being towed. During this research, divers
actively monitor the gear for protected species interactions and use
emergency signal floats to notify the vessel if an interaction occurs.
When the signal float is deployed, the vessel terminates the tow and
slows the gear down to a minimal forward speed of less than 0.5 knots
which allows divers to assist the protected species to escape.
Live feed video or sonar monitoring of the trawl may be used in
lieu of tow time limits. This mitigation measure is also used in
addition to TEDs during some projects. Video or sonar feeds are
monitored for the duration of the tow. If a TED is not installed in the
trawl and a protected species is observed in the trawl then the tow is
immediately terminated. If a TED is installed and a marine mammal is
observed to have difficulty escaping through the TED opening, or the
individual is lost from the video or sonar feed then the tow is
immediately terminated. For all trawl types, the lazy line is a source
of entanglement. In particular, dolphins like to rub the line. Loose
lines are prone to create a half-hitch around their tail. Therefore, to
mitigate this type of interaction, the SEFSC Harvesting Systems Unit
(HSU) has conducted limited research examining the potential use of
lazy lines constructed of alternative materials designed to reduce
marine mammal entanglement with respect to material, thickness, and
stiffness. Polyester rope, also known as Dacron, may be a suitable
alternative to traditionally used polypropylene. Polyester rope is UV
and abrasion resistant and has less elasticity than nylon but does not
lose strength when wet. Polyester, like polypropylene, does not absorb
water but has a higher specific gravity (1.38), which causes it to
sink. Polyester can be constructed using a process that results in a
medium or hard lay rope that is stiff, avoids hockling (a twist in the
line which gets caught in a block), and is self-coiling when loaded or
unloaded off a capstan or gear hauler. The high specific gravity of
this type of rope may pose a snagging or hang-up hazard when used as a
lazy line in trawl operations. However, the smooth feel of the rope
compared to polypropylene may reduce the attractiveness of the line to
the rubbing behavior of bottlenose dolphin.
In 2007, the HSU conducted preliminary NOAA diver assisted trials
with High Density Polyethylene (HDPE) rope as a replacement for
traditional polypropylene. Compared to polypropylene, HDPE rope has
similar properties including negligible water absorption, UV
resistance, and low specific gravity, which allows it to float.
However, HDPE rope may be constructed with a harder lay than
traditional polypropylene rope. Divers found that half-hitching the
line was more difficult than traditional polypropylene line. However,
operational trials were not conducted to examine performance and
usability aboard the vessel during extended fishing operations.
Another alternative may be replacement of the lazy line with \3/8\
in. stainless steel cable or replacement of the aft portion of the lazy
line with \3/8\ in. stainless steel cable. Replacement of the entire
lazy line with cable would require block replacement and the use of
dedicated winches for hauling the gear. Replacing the aft portion of
the lazy line, where bottlenose dolphins typically interact with the
line, would not require any changes as long as the rope to cable
connection is able to smoothly pass through existing blocks. However,
each of these changes would result in sinking and potential snagging or
hang-up hazards. These modifications are also not without consequences.
Lazy line modifications may require vessel equipment changes (e.g.,
blocks on research vessels) or may change the effectiveness of the
catch, precluding the comparison of new data with long-term data sets.
In 2017, the HSU conducted a follow-up study, funded by NMFS Office of
Science and Technology, to further investigate gear modification and
the potential effectiveness at reducing dolphin entanglement.
The following summarizes HSU's 2017 research efforts on shrimp
trawl gear modification which was carried out to inform the development
of this rule (the full report can be found at https://www.fisheries.noaa.gov/node/23111). Gearhart and Hathaway (2018)
provide the following summary of research methods and findings: From
June 9-22, 2017, HSU conducted gear evaluations in Panama City,
Florida, with various lazy lines and configurations. In addition to
traditional polypropylene, three types of 3 strand rope were examined;
Samson Ultra-Blue Medium Hard Lay (MHL); Samson SSR 100 MHL; and Samson
XLR. Vertical and horizontal profiles of each rope type were measured
with and without a ``sugar line'' attached in a twin-rigged trawl
configuration. In addition, dolphin interactions were simulated by NMFS
divers with an aluminum dolphin fluke model. Results indicate that the
vertical profiles were reduced and horizontal profiles increased for
all rope types when a 25 ft (7.6 m) ``sugar line'' was added. Due to
differences in elasticity when compared to polypropylene, the
alternative rope types experienced greater tension with vertical
profiles flattening, while the polypropylene rope maintained vertical
relief. Results of simulated dolphin interactions were inconclusive
with divers able to introduce half-hitch loops around the model fluke
with both polypropylene and the stiffest alternative rope, Samson SSR
100 MHL. However, divers commented that it was more difficult to
introduce the loop in the stiffer Samson SSR 100 MHL than the
polypropylene line and more difficult to introduce the loop along the
outer portion of the lazy line with the sugar line attached, due to the
increased tension on the line. Use of an alternative stiffer line with
low stretch in combination with a short sugar line may reduce the
potential for bottlenose dolphin takes on lazy lines. However,
additional usability research is needed with these alternative rope
types to see how they perform under commercial conditions. Finally,
more directed dolphin/lazy line interaction behavior research is needed
to better understand the modes of interaction and provide conservation
engineers with the knowledge required to better formulate potential
solutions.
Given the report's results and recommendations, NMFS is not
requiring the SEFSC implement lazy line modifications at this time.
However, as an adaptive management strategy, NMFS will be periodically
assessing lazy line modification as a potential mitigation measure in
this and future regulations. NMFS will continue to work with the SEFSC
to determine if gear modifications such as stiffer lazy
[[Page 27062]]
lines are both warranted and practicable to implement. Should the SEFSC
volunteer to modify trawl lazy lines, NMFS will work with the
researchers to identify any potential benefits and costs of doing so.
In addition to interactions with the lazy line, the SEFSC has
identified that holes in trawl nets resulting from dolphin depredation
are most numerous around net ``pockets'' where fish congregate.
Reinforcing these more vulnerable sections of the net could help reduce
entanglement. Similar to lazy line modification investigations, this
potential mitigation measure will be further examined to determine its
effectiveness and practicability. The regulations provide that
``pocketing'' of the net should be minimized.
Finally, marine mammal monitoring will occur during all trawls.
Bottlenose dolphins are consistently interacting with research trawls
in the estuary and nearshore waters and are seemingly attracted to the
vessel, with most dolphins converging around the net during haul-back
(SCDNR Working Group, pers. comm., February 2, 2016). This makes it
difficult to ``lose'' dolphins, even while moving stations. Due to the
known persistent behavior of dolphins around trawls in the estuary and
nearshore waters, the move-on rule will not be required for such
surveys. However, the CS and/or vessel captain will be required to take
immediate action to reduce dolphin interaction should animals appear to
be at risk or are entangled in the net. For skimmer trawl research,
both the lazy line and net can be monitored from the vessel. However,
this is not possible for bottom trawls. Therefore, for bottom trawls,
researchers should use best professional judgement to determine if gear
deployment should be delayed or hauled. For example, the SCDNR has
noted one instance upon which dolphins appeared distressed, evident by
the entire group converging on the net during haul-back. They quickly
discovered a dolphin was entangled in the net. This, and similar types
of overt distress behaviors, should be used by researchers monitoring
the net to identify potential entanglement, requiring the net be
hauled-in immediately and quickly.
Pelagic trawls conducted in deep water (500-800 m deep) are
typically mid-water trawls and occur in oceanic waters where marine
mammal species diversity is greater when compared to the coast or
estuaries. Oceanic species often travel in very large groups and are
less likely to have prior encounters and experience with trawl gear
than inshore bottlenose dolphins. For these trawls, a dedicated marine
mammal observer would observe around the vessel for no less than 30
minutes prior to gear deployment. If a marine mammal is observed within
2 nm of the vessel, gear deployment would be delayed until that animal
is deemed to not be at risk of entanglement (e.g., the animal is moving
on a path away from the vessel) or the vessel would move to a location
absent of marine mammals and deploy gear. If trawling operations have
been delayed because of the presence of protected species, the vessel
resumes trawl operations (when practicable) only when these species
have not been sighted within 30 minutes or are determined to no longer
be at risk (e.g., moving away from deployment site). If the vessel
moves, the required 30-minute monitoring period begins again. In
extreme circumstances, the survey station may need to be cancelled if
animals (e.g., delphinids) follow the vessel. In addition to
implementing the ``move-on'' rule, all trawling would be conducted
first to reduce the opportunity to attract marine mammals to the
vessel. However, the order of gear deployment is at the discretion of
the FPC or SWL based on environmental conditions. Other activities,
such as water sampling or plankton tows, are conducted in conjunction
with, or upon completion of, trawl activities.
Once the trawl net is in the water, the officer on watch, FPC or
SWL, and/or crew standing watch continue to monitor the waters around
the vessel and maintain a lookout for protected species as far away as
environmental conditions allow. If protected species are sighted before
the gear is fully retrieved, the most appropriate response to avoid
incidental take is determined by the professional judgment of the FPC
or SWL, in consultation with the officer on watch. These judgments take
into consideration the species, numbers, and behavior of the animals,
the status of the trawl net operation (net opening, depth, and distance
from the stern), the time it would take to retrieve the net, and safety
considerations for changing speed or course. Most marine mammals have
been caught during haul-back operations, especially when the trawl
doors have been retrieved and the net is near the surface and no longer
under tension. In some situations, risk of adverse interactions may be
diminished by continuing to trawl with the net at depth until the
protected species have left the area before beginning haul-back
operations. In other situations, swift retrieval of the net may be the
best course of action. The appropriate course of action to minimize the
risk of incidental take of protected species is determined by the
professional judgment of the FPC or SWL based on all situation
variables, even if the choices compromise the value of the data
collected at the station. Care is taken when emptying the trawl,
including opening the codend as close as possible to the deck of the
checker (or sorting table) in order to avoid damage to protected
species that may be caught in the gear but are not visible upon
retrieval. The gear is emptied as quickly as possible after retrieval
in order to determine whether or not protected species are present.
Seine Nets
The SEFSC will implement the following mitigation measures when
fishing with seine nets (e.g., gillnets, trammel nets):
Conduct gillnet and trammel net research activities during
daylight hours only;
Limit soak times to the least amount of time required to
conduct sampling;
Conduct dedicated marine mammal observation monitoring
beginning 15 minutes prior to deploying the gear and continue through
deployment and haulback;
Hand-check the net every 30 minutes if soak times are
longer than 30 minutes or immediately if disturbance is observed;
Pull gear immediately if disturbance in the nets is
observed;
Reduce net slack and excess floating and trailing lines;
Repair damaged nets prior to deploying; and
Delay or pull all gear immediately and implement the move-
on rule if marine mammal is at-risk of entanglement.
The dedicated observation will be made by scanning the water and
marsh edge (if visible when working in estuarine waters) 360 degrees
around the vessel where the net would be set. If a marine mammal is
sighted during this observation period, nets would not be deployed
until the animal has left the area, is on a path away from where the
net would be set, or has not been re-sighted within 15 minutes.
Alternatively, the research team may move the vessel to an area clear
of marine mammals. If the vessel moves, the 15 minute observation
period is repeated. Monitoring by all available crew would continue
while the net is being deployed, during the soak, and during haulback.
If marine mammals are sighted in the peripheral sampling area
during active netting, the SEFSC will raise and lower the net leadline.
If marine mammals do
[[Page 27063]]
not immediately depart the area and the animal appears to be at-risk of
entanglement (e.g, interacting with or on a path towards the net), the
SEFSC will delay or pull all gear immediately and, if required,
implement the move-on rule if marine mammal is at-risk of entanglement.
If protected species are not sighted during the 15 minute
observation period, the gear may be set. Waters surrounding the net and
the net itself would be continuously monitored during the soak. If
protected species are sighted during the soak and appear to be at risk
of interaction with the gear, then the gear is pulled immediately. If
fishing operations are halted, operations resume when animal(s) have
not been sighted within 15 minutes or are determined to no longer be at
risk, as determined by the judgment of the FPC or SWL. In other
instances, the station is moved or cancelled. If any disturbance in the
gear is observed in the gear, it is immediately checked or pulled.
Hook and Line Gear Mitigation
In addition to the general mitigation measures listed above, the
SEFSC will implement the following mitigation measures:
Monitor area for marine mammals and, if present, delay
setting gear until the animal is deemed not at risk.
Immediately reel in lines if marine mammals are deemed to
be at risk of interacting with gear.
Follow existing Dolphin Friendly Fishing Tips: http://sero.nmfs.noaa.gov/protected_resources/outreach_and_education/documents/dolphin_friendly_fishing_tips.pdf.
Not discard leftover bait overboard while actively
fishing.
Inspect tackles daily to avoid unwanted line breaks.
When fishing with bottom or pelagic longlines, the SEFSC will: (1)
Limit longline length and soak times to the minimum amount possible;
(2) deploy longline gear first (after required monitoring) prior to
conducting environmental sampling; (3) if any marine mammals are
observed, delay deploying gear unless animal is not at risk of hooking;
(4) pull gear immediately and implement the move-on rule if any marine
mammal is hooked or is at risk of being hooked; (5) deploy longline
gear prior to environmental sampling; and (6) avoid chumming (i.e.,
baiting water). More detail on these measures are described below.
Prior to arrival on station (but within 0.5 nautical mile), the
officer, crew members, and scientific party on watch visually scan for
protected species for 30 minutes prior to station arrival for pelagic
longline surveys and 15 minutes prior for other surveys. Binoculars
will be used as necessary to survey the area while approaching and upon
arrival at the station, while the gear is deployed, and during
haulback. Additional monitoring is conducted 15 minutes prior to
setting longline gear by members of the scientific crew that monitor
from the back deck while baiting hooks. If protected species are
sighted prior to setting the gear or at any time the gear is in the
water, the bridge crew and SWL are alerted immediately. Environmental
conditions (e.g., lighting, sea state, precipitation, fog, etc.) often
limit the distance for effective visual monitoring of protected
species. If marine mammals are sighted during any monitoring period,
the ``move-on'' rule, as described in the trawling mitigation section
above would be implemented. If longline operations have been delayed
because of the presence of protected species, the vessel resumes
longline operations only when these species have not been sighted
within 15 minutes or otherwise determined to no longer be at risk. The
risk decision is at the discretion of the FPC or SWL and is dependent
on the situation. After the required monitoring period, longline gear
is always the first equipment or fishing gear to be deployed when the
vessel arrives on station.
If marine mammals are detected during setting operations or while
the gear is in the water and are considered to be at risk (e.g., moving
towards deployment site, displaying behaviors of potentially
interacting with gear, etc.), the FPC or SWL in conjunction with the
officer on watch may halt the setting operation or call for retrieval
of gear already set. The species, number, and behavior of the protected
species are considered along with the status of the ship and gear,
weather and sea conditions, and crew safety factors when making
decisions regarding gear deployment delay or retrieval.
There are also a number of standard measures designed to reduce
hooking potential and minimize injury. In all pelagic longline sets,
gangions are 110 percent as long as the drop line depth. Therefore,
this gear configuration allows a potentially hooked marine mammal to
reach the surface. SEFSC longline protocols specifically prohibit
chumming, thereby reducing any attraction. Further, no stainless steel
hooks are used, so that in the event a hook can not be retrieved from
an animal, it will corrode. Per PLTRP, the SEFSC pelagic longline
survey uses the Pelagic Longline Marine Mammal Handling and Release
Guidelines for any pelagic longline sets made within the Atlantic EEZ.
These procedures would also be implemented in the GOMRA and CRA.
Other gears--The SEFSC deploys a wide variety of gear to sample the
marine environment during all of their research cruises. Many of these
types of gear (e.g., chevron fish trap, eel traps, dip nets, video
cameras and ROV deployments) are not considered to pose any risk to
marine mammals due to their size, deployment methods, or location, and
therefore are not subject to mitigation. However, at all times when the
SEFSC is conducting survey operations at sea, the OOD and/or CS and
crew will monitor for any unusual circumstances that may arise at a
sampling site and use best professional judgment to avoid any potential
risks to marine mammals during all vessel operation and use of research
equipment.
Electrofishing--Electrofishing occurs on small vessels and operates
with a 3,000 watt pulsed direct current for 15 minutes. The electric
field is less than 20 feet (6 m) around the electrofishing vessel.
Before the electrofishing vessel begins operating, a dedicated marine
mammal observer would scan the surrounding waters for at least 15
minutes prior to fishing. If a marine mammal is observed within 50 m of
the vessel or on a path toward the vessel, electrofishing would be
delayed. Fishing would not begin until the animal is outside of the 50
m safety zone or on a consistent path away from the vessel.
Alternatively, if animals do not leave the area, the vessel could move
to another sampling station. If the vessel moves, the 15 minutes
observation period is repeated. During electrofishing, the research
crew would also monitor for marine mammals. If animals are observed
within or on a path toward the 50 m safety zone, electrofishing would
be terminated and not resume until the animal is clear of and on a path
away from the 50 m safety zone. All samples collected during
electrofishing are to remain on the vessel and not discarded until all
electrofishing is completed to avoid attracting protected species.
Vessel speed--Vessel speed during active sampling is less than 5 kn
(average 2-3 kn). Transit speeds to and from sampling sites vary from
6-14 kn but average 10 kn. These low vessel speeds minimize the
potential for ship strike (see Potential Effects of Specified
Activities on Marine Mammals and Their Habitat for an in-depth
discussion of ship strikes). At any time during a survey or in transit,
if a crew member standing watch or dedicated marine mammal observer
sights marine
[[Page 27064]]
mammals that may intersect with the vessel course, that individual will
immediately communicate the presence of marine mammals to the bridge
for appropriate course alteration or speed reduction, if possible, to
avoid incidental collisions.
While transiting in areas subject to the North Atlantic ship strike
rule, all SEFSC- affiliated research vessels (NOAA vessels, NOAA
chartered vessels, and research partner vessels) will abide by the
required speed restrictions and sighting alert protocols. The ship
strike rule for the southeast U.S. seasonal management area (SMA)
requires that, from November 15 through April 15, all vessels 65 feet
(20 m) or longer must slow to 10 kn or less in the right whale calving
and nursery grounds which are bounded to the north by latitude
31[deg]27' N, to the south by 29[deg]45' N, and to the east by
80[deg]51'36'' W. Mid-Atlantic SMAs include several port or bay
entrances from northern Georgia to Rhode Island between November 1 and
April 30. In addition, dynamic management areas (DMAs) are temporary
areas created around right whale sightings, the size of which depends
on the number of whales sighted. Voluntary speed reductions may apply
when no SMA is in effect. All NOAA research vessels operating in North
Atlantic right whale habitat participate in the Right Whale Early
Warning System.
SEFSC research vessel captains and crew watch for marine mammals
while underway during daylight hours and take necessary actions to
avoid them. There are currently no Marine Mammal Observers (MMOs)
aboard the vessels dedicated to watching for marine mammals to minimize
the risk of collisions, although the large NOAA vessels (e.g., NOAA
Ship Pisces) operated by the NOAA Office of Marine and Aviation
Operations (OMAO) include one bridge crew dedicated to watching for
obstacles at all times, including marine mammals. At any time during a
survey or in transit, any bridge personnel that sights marine mammals
that may intersect with the vessel course immediately communicates
their presence to the helm for appropriate course alteration or speed
reduction as soon as possible to avoid incidental collisions,
particularly with large whales (e.g., North Atlantic right whales).
The Right Whale Early Warning System is a multi-agency effort that
includes the SEFSC, the Florida Fish and Wildlife Conservation
Commission (FWCC), U.S. Coast Guard, U.S. Navy, and volunteer
observers. Sightings of the critically endangered North Atlantic right
whale are reported from aerial surveys, shipboard surveys, whale watch
vessels, and opportunistic sources (U.S. Coast Guard, commercial ships,
fishing vessels, and the general public). Whale sightings are reported
in real time to the Right Whale Early Warning System network and
information is disseminated to mariners within a half hour of a
sighting. The program was designed to reduce collisions between ships
and North Atlantic right whales by alerting mariners to the presence of
the whales in near real time. Under the rule, all NOAA-affiliated
vessels operating in North Atlantic right whale habitat will be
required to participate in the Right Whale Early Warning System.
Acoustic and Visual Deterrent Devices--Acoustic and visual
deterrents include, but are not limited; to pingers, recordings of
predator vocalizations, light sticks, and reflective twine/rope.
Pingers are underwater sound-emitting devices attached to gear that
have been shown to decrease the probability of interactions with
certain species of marine mammals. Pingers have been shown to be
effective in deterring some marine mammals, particularly harbor
porpoises, from interacting with gillnet gear (Nowacek et al. 2007,
Carretta and Barlow 2011). Multiple studies have reported large
decreases in harbor porpoise mortality (approximately 80 to 90 percent)
in bottom-set gillnets (nets composed of vertical panes of netting,
typically set in a straight line and either anchored to the bottom or
drifting) during controlled experiments (e.g., Kraus et al., 1997;
Trippel et al., 1999; Gearin et al., 2000). Using commercial fisheries
data rather than a controlled experiment, Palka et al. (2008) reported
that harbor porpoise bycatch rates in the northeast U.S gillnet fishery
when fishing without pingers was about two to three times higher
compared to when pingers were used. After conducting a controlled
experiment in a California drift gillnet fishery during 1996-97, Barlow
and Cameron (2003) reported significantly lower bycatch rates when
pingers were used for all cetacean species combined, all pinniped
species combined, and specifically for short-beaked common dolphins (85
percent reduction) and California sea lions (69 percent reduction).
While not a statistically significant result, catches of Pacific white-
sided dolphins (which are historically one of the most frequently
captured species in SEFSC surveys; see Table 4) were reduced by 70
percent. Carretta et al. (2008) subsequently examined 9 years of
observer data from the same drift gillnet fishery and found that pinger
use had eliminated beaked whale bycatch. Carretta and Barlow (2011)
assessed the long-term effectiveness of pingers in reducing marine
mammal bycatch in the California drift gillnet fishery by evaluating
fishery data from 1990-2009 (with pingers in use beginning in 1996),
finding that bycatch rates of cetaceans were reduced nearly fifty
percent in sets using a sufficient number of pingers. However, in a
behavioral response study investigating bottlenose dolphin behavior
around gillnets outfitted with acoustic alarms in North Carolina, there
was no significant difference in number of dolphins or closest approach
between nets with alarms and nets without alarms (Cox et al., 2003).
Studies of acoustic deterrents in a trawl fishery in Australia
concluded that pingers are not likely to be effective in deterring
bottlenose dolphins, as they are already aware of the gear due to the
noisy nature of the fishery (Stephenson and Wells 2008, Allen et al.
2014). Acoustic deterrents were also ineffective in reducing bycatch of
common dolphins in the U.K. bass pair trawl fishery (Mackay and
Northridge 2006).
The use and effectiveness of acoustic deterrent devices in
fisheries in which bottlenose dolphins have the potential to interact
has been approached with caution. Two primary concerns expressed with
regard to pinger effectiveness in reducing marine mammal bycatch relate
to habituation (i.e., marine mammals may become habituated to the
sounds made by the pingers, resulting in increasing bycatch rates over
time; Dawson, 1994; Cox et al., 2001; Carlstr[ouml]m et al., 2009) and
the ``dinner bell effect'' (Dawson, 1994; Richardson et al., 1995),
which implies that certain predatory marine mammal species may come to
associate pingers with a food source (e.g., fish caught in nets), with
the result that bycatch rates may be higher in nets with pingers than
in those without.
The BDTRP, after years of directed investigation, found that
pingers are not effective at deterring bottlenose dolphins from
depredating on fish captured by trawls and gillnets. During research
driven by the BDTRT efforts to better understand the effectiveness of
pingers on bottlenose dolphins, one became entangled and drowned in a
net outfitted with a pinger. Dolphins can become attracted to the sound
of the pinger because they learn it signals the presence of fish (i.e.,
the ``dinner bell effect''), raising concerns about potential increased
entanglement risks (Cox et al., 2003; Read et al., 2004 and 2006; and
Read and Waples 2010). Due to the lack of evidence that pingers are
effective at
[[Page 27065]]
deterring bottlenose dolphins coupled with the potential dinner-bell
effect, the BDTRP does not recommend them for use in SEFSC for
bottlenose dolphins.
The effectiveness of acoustic and visual deterrents for species
encountered in the ARA, GOMRA, and CRA is uncertain. Therefore, the
SEFSC will not be required to outfit gear with deterrent devices but is
encouraged to undertake investigations on the efficacy of these
measures where unknown (i.e., not for surveys in which bottlenose
dolphins are primary bycatch) in order to minimize the potential for
takes.
Disentanglement Handling Procedures--The SEFSC will implement a
number of handling protocols to minimize the potential harm to marine
mammals that are incidentally taken during the course of fisheries
research activities. In general, protocols have already been prepared
for use on commercial fishing vessels. Although commercial fisheries
are known to take a larger number of marine mammals than fisheries
research, the nature of entanglements are similar. Therefore, the SEFSC
would adopt commercial fishery disentanglement protocols, which are
expected to increase post-release survival. Handling or disentangling
marine mammals carries inherent safety risks, and using best
professional judgment and ensuring human safety is paramount.
Captured live or injured marine mammals are released from research
gear and returned to the water as soon as possible with no gear or as
little gear remaining on the animal as possible. Animals are released
without removing them from the water if possible, and data collection
is conducted in such a manner as not to delay the release of the
animal(s) or endanger the crew. SEFSC is responsible for training SEFSC
and partner researchers on how to identify different species; handle
and bring marine mammals aboard a vessel; assess the level of
consciousness; remove fishing gear; and return marine mammals to water.
Human safety is always the paramount concern.
At least two persons aboard SEFSC ships and one person aboard
smaller vessels, including vessels operated by partners where no SEFSC
staff are present, will be trained in marine mammal handling, release,
and disentanglement procedures. If a marine mammal is entangled or
hooked in fishery research gear and discovered alive, the SEFSC or
affiliate will follow safe handling procedures. To facilitate this
training, SEFSC would be required to ensure relevant researchers attend
the NMFS Highly Migratory Species/Protected Species Safe Handling,
Release, and Identification Workshop www.nmfs.noaa.gov/sfa/hms/compliance/workshops/protected_species_workshop/index.html or other
similar training. The SEFSC shall provide SEFSC scientists and partner
institutions with the Protected Species Safe Handling and Release
Manual (see Appendix D is SEFSC's application) and advise researchers
to follow this manual, in addition to lessons learned during training,
should a marine mammal become entangled during a survey. For those
scientists conducting longline surveys, the SEFSC shall provide
training on the Pelagic Longline Take Reduction Team Marine Mammal
Handling and Release Guidelines.
Based on our evaluation of the SEFSC's proposed measures, as well
as other measures considered by NMFS, NMFS has preliminarily determined
that the mitigation measures provide the means of effecting the least
practicable impact on the affected species or stocks and their habitat,
paying particular attention to rookeries, mating grounds, and areas of
similar significance.
Monitoring and Reporting
In order to issue an incidental take authorization for an activity,
section 101(a)(5)(A) of the MMPA states that NMFS must set forth
``requirements pertaining to the monitoring and reporting of such
taking.'' The MMPA implementing regulations at 50 CFR 216.104 (a)(13)
require that requests for incidental take authorizations must include
the suggested means of accomplishing the necessary monitoring and
reporting that will result in increased knowledge of the species and of
the level of taking or impacts on populations of marine mammals that
are expected to be present in the action area.
Monitoring and reporting requirements prescribed by NMFS should
contribute to improved understanding of one or more of the following:
Occurrence of marine mammal species or stocks in the
action area (e.g., presence, abundance, distribution, density);
Nature, scope, or context of likely marine mammal exposure
to potential stressors/impacts (individual or cumulative, acute or
chronic), through better understanding of: (1) Action or environment
(e.g., source characterization, propagation, ambient noise); (2)
affected species (e.g., life history, dive patterns); (3) co-occurrence
of marine mammal species with the action; or (4) biological or
behavioral context of exposure (e.g., age, calving or feeding areas);
Individual marine mammal responses (behavioral or
physiological) to acoustic stressors (acute, chronic, or cumulative),
other stressors, or cumulative impacts from multiple stressors;
How anticipated responses to stressors impact either: (1)
Long-term fitness and survival of individual marine mammals; or (2)
populations, species, or stocks;
Effects on marine mammal habitat (e.g., marine mammal prey
species, acoustic habitat, or other important physical components of
marine mammal habitat); and
Mitigation and monitoring effectiveness.
The SEFSC plans to make more systematic its training, operations,
data collection, animal handling and sampling protocols, etc. in order
to improve its ability to understand how mitigation measures influence
interaction rates and ensure its research operations are conducted in
an informed manner and consistent with lessons learned from those with
experience operating these gears in close proximity to marine mammals.
We propose the monitoring requirements described below.
Marine mammal watches are a standard part of conducting fisheries
research activities and are implemented as described previously in the
Mitigation section. Dedicated marine mammal observations occur as
described (1) for some period prior to deployment of most research
gear; (2) throughout deployment and active fishing of all research
gears; (3) for some period prior to retrieval of gear; and (4)
throughout retrieval of research gear. Observers should record the
species and estimated number of animals present and their behaviors,
which may be valuable information towards an understanding of whether
certain species may be attracted to vessels or certain survey gears.
Separately, on white boats, marine mammal watches are conducted by
watch-standers (those navigating the vessel and other crew; these will
typically not be SEFSC personnel) at all times when the vessel is being
operated. The primary focus for this type of watch is to avoid striking
marine mammals and to generally avoid navigational hazards. These
watch-standers typically have other duties associated with navigation
and other vessel operations and are not required to record or report
data to the scientific party on marine mammal sightings, except when
gear is being deployed or retrieved.
[[Page 27066]]
Training
The SEFSC anticipates that additional information on practices to
avoid marine mammal interactions can be gleaned from training sessions
and more systematic data collection standards. The SEFSC will conduct
annual trainings for all CS and other personnel who may be responsible
for conducting dedicated marine mammal visual observations to explain
mitigation measures and monitoring and reporting requirements,
mitigation and monitoring protocols, marine mammal identification,
recording of count and disturbance observations (relevant to AMLR
surveys), completion of datasheets, and use of equipment. Some of these
topics may be familiar to SEFSC staff, who may be professional
biologists. The SEFSC shall determine the agenda for these trainings
and ensure that all relevant staff have necessary familiarity with
these topics. The first such training will include three primary
elements:
First, the course will provide an overview of the purpose and need
for the authorization, including mandatory mitigation measures by gear
and the purpose for each, and species that the SEFSC is authorized to
incidentally take. Second, the training will provide detailed
descriptions of reporting, data collection, and sampling protocols.
This portion of the training will include instruction on how to
complete new data collection forms such as the marine mammal watch log,
the incidental take form (e.g., specific gear configuration and details
relevant to an interaction with protected species), and forms used for
species identification and biological sampling. The biological data
collection and sampling training module will include the same sampling
and necropsy training that is used for the Southeast Regional Observer
training.
The SEFSC will also dedicate a portion of training to discussion of
best professional judgment (which is recognized as an integral
component of mitigation implementation; see Mitigation), including use
in any incidents of marine mammal interaction and instructive examples
where use of best professional judgment was determined to be successful
or unsuccessful. We recognize that many factors come into play
regarding decision-making at sea and that it is not practicable to
simplify what are inherently variable and complex situational decisions
into rules that may be defined on paper. However, it is our intent that
use of best professional judgment be an iterative process from year to
year, in which any at-sea decision-maker (i.e., responsible for
decisions regarding the avoidance of marine mammal interactions with
survey gear through the application of best professional judgment)
learns from the prior experience of all relevant SEFSC personnel
(rather than from solely their own experience). The outcome should be
increased transparency in decision-making processes where best
professional judgment is appropriate and, to the extent possible, some
degree of standardization across common situations, with an ultimate
goal of reducing marine mammal interactions. It is the responsibility
of the SEFSC to facilitate such exchange.
Handling Procedures and Data Collection
Improved standardization of handling procedures was discussed
previously in the Mitigation section. SEFSC believes that implementing
these protocols will benefit animals through increased post-release
survival. In addition, SEFSC believes that adopting these protocols for
data collection will also increase the information on which ``serious
injury'' determinations (NMFS, 2012a, b) are based and improve
scientific knowledge about marine mammals that interact with fisheries
research gears and the factors that contribute to these interactions.
SEFSC personnel will be provided standard guidance and training
regarding handling of marine mammals, including how to identify
different species, bring an individual aboard a vessel, assess the
level of consciousness, remove fishing gear, return an individual to
water and log activities pertaining to the interaction.
The SEFSC will record interaction information on either existing
data forms created by other NMFS programs or will develop their own
standardized forms. To aid in serious injury determinations and comply
with the current NMFS Serious Injury Guidelines, researchers will also
answer a series of supplemental questions on the details of marine
mammal interactions.
Finally, for any marine mammals that are killed during fisheries
research activities, when practicable, scientists will collect data and
samples pursuant to Appendix D of the SEFSC DEA, ``Protected Species
Handling Procedures for SEFSC Fisheries Research Vessels.''
SEFSC Reporting
As is normally the case, SEFSC will coordinate with the relevant
stranding coordinators for any unusual marine mammal behavior and any
stranding, beached live/dead, or floating marine mammals that are
encountered during field research activities. The SEFSC will follow a
phased approach with regard to the cessation of its activities and/or
reporting of such events, as described in the regulatory text following
this preamble. In addition, CS (or cruise leader) will provide reports
to SEFSC leadership and to the OPR. As a result, when marine mammals
interact with survey gear, whether killed or released alive, a report
provided by the CS will fully describe any observations of the animals,
the context (vessel and conditions), decisions made and rationale for
decisions made in vessel and gear handling. The circumstances of these
events are critical in enabling the SEFSC and OPR to better evaluate
the conditions under which takes are most likely occur. We believe in
the long term this will allow the avoidance of these types of events in
the future.
The SEFSC will submit annual summary reports to OPR including:
(1) Annual line-kilometers surveyed during which the EK60, ME70,
SX90 (or equivalent sources) were predominant (see ``Estimated Take''
for further discussion), specific to each region;
(2) Summary information regarding use of all trawl, net, and hook
and line gear, including number of sets, tows, hook hours, etc.,
specific to each research area and gear;
(3) Accounts of all incidents of marine mammal interactions,
including circumstances of the event and descriptions of any mitigation
procedures implemented or not implemented and why;
(4) Summary information related to any disturbance of marine
mammals and distance of closest approach;
(5) A written description of any mitigation research investigation
efforts and findings (e.g., lazy line modifications);
(6) A written evaluation of the effectiveness of SEFSC mitigation
strategies in reducing the number of marine mammal interactions with
survey gear, including best professional judgment and suggestions for
changes to the mitigation strategies, if any;
(7) Details on marine mammal-related training taken by SEFSC and
partner scientists; and
(8) A summary of meeting(s) and workshop(s) outcomes with any
partner working group, including, the South Carolina Department of
Natural Resources, designed to reduce the number of marine mammal
interactions.
The period of reporting will be annually, beginning one year post-
issuance of any LOA, and the report must be submitted not less than
ninety days following the end of a given year.
[[Page 27067]]
Submission of this information is in service of an adaptive management
framework allowing NMFS to make appropriate modifications to mitigation
and/or monitoring strategies, as necessary, during the 5-year period of
validity for these regulations and LOA.
Should an incidental take occur, the SEFSC, or affiliated partner
involved in the taking, shall follow the NMFS Final Take Reporting and
Response Procedures, dated January 15, 2016. NMFS has established a
formal incidental take reporting system, the PSIT database, requiring
that incidental takes of protected species be reported within 48 hours
of the occurrence. The PSIT generates automated messages to NMFS
leadership and other relevant staff, alerting them to the event and to
the fact that updated information describing the circumstances of the
event has been inputted to the database. The PSIT and CS reports
represent not only valuable real-time reporting and information
dissemination tools but also serve as an archive of information that
may be mined in the future to study why takes occur by species, gear,
region, etc.
The SEFSC will also collect and report all necessary data, to the
extent practicable given the primacy of human safety and the well-being
of captured or entangled marine mammals, to facilitate serious injury
(SI) determinations for marine mammals that are released alive. The
SEFSC will require that the CS complete data forms and address
supplemental questions, both of which have been developed to aid in SI
determinations. The SEFSC understands the critical need to provide as
much relevant information as possible about marine mammal interactions
to inform decisions regarding SI determinations. In addition, the SEFSC
will perform all necessary reporting to ensure that any incidental M/SI
is incorporated as appropriate into relevant SARs.
Negligible Impact Analysis and Determination
Introduction--NMFS has defined negligible impact as an impact
resulting from the specified activity that cannot be reasonably
expected to, and is not reasonably likely to, adversely affect the
species or stock through effects on annual rates of recruitment or
survival (50 CFR 216.103). A negligible impact finding is based on the
lack of likely adverse effects on annual rates of recruitment or
survival (i.e., population-level effects). An estimate of the number of
takes alone is not enough information on which to base an impact
determination. In addition to considering estimates of the number of
marine mammals that might be ``taken'' by mortality, serious injury,
and Level A or Level B harassment, we consider other factors, such as
the likely nature of any behavioral responses (e.g., intensity,
duration), the context of any such responses (e.g., critical
reproductive time or location, migration), as well as effects on
habitat, and the likely effectiveness of mitigation. We also assess the
number, intensity, and context of estimated takes by evaluating this
information relative to population status. Consistent with the 1989
preamble for NMFS's implementing regulations (54 FR 40338; September
29, 1989), the impacts from other past and ongoing anthropogenic
activities are incorporated into this analysis via their impacts on the
environmental baseline (e.g., as reflected in the regulatory status of
the species, population size and growth rate where known, ongoing
sources of human-caused mortality, and specific consideration of take
by M/SI previously authorized for other NMFS research activities).
We note here that the takes from potential gear interactions
enumerated below could result in non-serious injury or no injury, but
their worst potential outcome (M/SI) is analyzed for the purposes of
the negligible impact determination.
We discuss here the connection, and differences, between the legal
mechanisms for authorizing incidental take under section 101(a)(5) for
activities such as the SEFSC fishery research activities, and for
authorizing incidental take from commercial fisheries. In 1988,
Congress amended the MMPA's provisions for addressing incidental take
of marine mammals in commercial fishing operations. Congress directed
NMFS to develop and recommend a new long-term regime to govern such
incidental taking (see MMC, 1994). The need to develop a system suited
to the unique circumstances of commercial fishing operations led NMFS
to suggest a new conceptual means and associated regulatory framework.
That concept, PBR, and a system for developing plans containing
regulatory and voluntary measures to reduce incidental take for
fisheries that exceed PBR were incorporated as sections 117 and 118 in
the 1994 amendments to the MMPA. In Conservation Council for Hawaii v.
National Marine Fisheries Service, 97 F. Supp.3d 1210 (D. Haw. 2015),
which concerned a challenge to NMFS' regulations and LOAs to the Navy
for activities assessed in the 2013-2018 HSTT MMPA rulemaking, the
Court ruled that NMFS' failure to consider PBR when evaluating lethal
takes in the negligible impact analysis under section 101(a)(5)(A)
violated the requirement to use the best available science.
PBR is defined in section 3 of the MMPA as ``the maximum number of
animals, not including natural mortalities, that may be removed from a
marine mammal stock while allowing that stock to reach or maintain its
optimum sustainable population'' (OSP) and, although not controlling,
can be one measure considered among other factors when evaluating the
effects of M/SI on a marine mammal species or stock during the section
101(a)(5)(A) process. OSP is defined in section 3 of the MMPA as ``the
number of animals which will result in the maximum productivity of the
population or the species, keeping in mind the carrying capacity of the
habitat and the health of the ecosystem of which they form a
constituent element.'' Through section 2, an overarching goal of the
statute is to ensure that each species or stock of marine mammal is
maintained at or returned to its OSP.
PBR values are calculated by NMFS as the level of annual removal
from a stock that will allow that stock to equilibrate within OSP at
least 95 percent of the time, and is the product of factors relating to
the minimum population estimate of the stock (Nmin), the
productivity rate of the stock at a small population size, and a
recovery factor. Determination of appropriate values for these three
elements incorporates significant precaution, such that application of
the parameter to the management of marine mammal stocks may be
reasonably certain to achieve the goals of the MMPA. For example,
calculation of the minimum population estimate (Nmin)
incorporates the level of precision and degree of variability
associated with abundance information, while also providing reasonable
assurance that the stock size is equal to or greater than the estimate
(Barlow et al., 1995), typically by using the 20th percentile of a log-
normal distribution of the population estimate. In general, the three
factors are developed on a stock-specific basis in consideration of one
another in order to produce conservative PBR values that appropriately
account for both imprecision that may be estimated, as well as
potential bias stemming from lack of knowledge (Wade, 1998).
Congress called for PBR to be applied within the management
framework for commercial fishing incidental take under section 118 of
the MMPA. As a result, PBR cannot be applied appropriately outside of
the section 118 regulatory framework without
[[Page 27068]]
consideration of how it applies within the section 118 framework, as
well as how the other statutory management frameworks in the MMPA
differ from the framework in section 118. PBR was not designed and is
not used as an absolute threshold limiting commercial fisheries.
Rather, it serves as a means to evaluate the relative impacts of those
activities on marine mammal stocks. Even where commercial fishing is
causing M/SI at levels that exceed PBR, the fishery is not suspended.
When M/SI exceeds PBR in the commercial fishing context under section
118, NMFS may develop a take reduction plan, usually with the
assistance of a take reduction team. The take reduction plan will
include measures to reduce and/or minimize the taking of marine mammals
by commercial fisheries to a level below the stock's PBR. That is,
where the total annual human-caused M/SI exceeds PBR, NMFS is not
required to halt fishing activities contributing to total M/SI but
rather utilizes the take reduction process to further mitigate the
effects of fishery activities via additional bycatch reduction
measures. In other words, under section 118 of the MMPA, PBR does not
serve as a strict cap on the operation of commercial fisheries that may
incidentally take marine mammals.
Similarly, to the extent PBR may be relevant when considering the
impacts of incidental take from activities other than commercial
fisheries, using it as the sole reason to deny (or issue) incidental
take authorization for those activities would be inconsistent with
Congress's intent under section 101(a)(5), NMFS' long-standing
regulatory definition of ``negligible impact,'' and the use of PBR
under section 118. The standard for authorizing incidental take for
activities other than commercial fisheries under section 101(a)(5)
continues to be, among other things that are not related to PBR,
whether the total taking will have a negligible impact on the species
or stock. Nowhere does section 101(a)(5)(A) reference use of PBR to
make the negligible impact finding or authorize incidental take through
multi-year regulations, nor does its companion provision at
101(a)(5)(D) for authorizing non-lethal incidental take under the same
negligible-impact standard. NMFS' MMPA implementing regulations state
that take has a negligible impact when it does not ``adversely affect
the species or stock through effects on annual rates of recruitment or
survival''--likewise without reference to PBR. When Congress amended
the MMPA in 1994 to add section 118 for commercial fishing, it did not
alter the standards for authorizing non-commercial fishing incidental
take under section 101(a)(5), implicitly acknowledging that the
negligible impact standard under section 101(a)(5) is separate from the
PBR metric under section 118. In fact, in 1994 Congress also amended
section 101(a)(5)(E) (a separate provision governing commercial fishing
incidental take for species listed under the ESA) to add compliance
with the new section 118 but retained the standard of the negligible
impact finding under section 101(a)(5)(A) (and section 101(a)(5)(D)),
showing that Congress understood that the determination of negligible
impact and application of PBR may share certain features but are, in
fact, different.
Since the introduction of PBR in 1994, NMFS had used the concept
almost entirely within the context of implementing sections 117 and 118
and other commercial fisheries management-related provisions of the
MMPA. Prior to the Court's ruling in Conservation Council for Hawaii v.
National Marine Fisheries Service and consideration of PBR in a series
of section 101(a)(5) rulemakings, there were a few examples where PBR
had informed agency deliberations under other MMPA sections and
programs, such as playing a role in the issuance of a few scientific
research permits and subsistence takings. But as the Court found when
reviewing examples of past PBR consideration in Georgia Aquarium v.
Pritzker, 135 F. Supp. 3d 1280 (N.D. Ga. 2015), where NMFS had
considered PBR outside the commercial fisheries context, ``it has
treated PBR as only one `quantitative tool' and [has not used it] as
the sole basis for its impact analyses.'' Further, the agency's
thoughts regarding the appropriate role of PBR in relation to MMPA
programs outside the commercial fishing context have evolved since the
agency's early application of PBR to section 101(a)(5) decisions.
Specifically, NMFS' denial of a request for incidental take
authorization for the U.S. Coast Guard in 1996 seemingly was based on
the potential for lethal take in relation to PBR and did not appear to
consider other factors that might also have informed the potential for
ship strike in relation to negligible impact (61 FR 54157; October 17,
1996).
The MMPA requires that PBR be estimated in SARs and that it be used
in applications related to the management of take incidental to
commercial fisheries (i.e., the take reduction planning process
described in section 118 of the MMPA and the determination of whether a
stock is ``strategic'' as defined in section 3). But nothing in the
statute requires the application of PBR outside the management of
commercial fisheries interactions with marine mammals. Nonetheless,
NMFS recognizes that as a quantitative metric, PBR may be useful as a
consideration when evaluating the impacts of other human-caused
activities on marine mammal stocks. Outside the commercial fishing
context, and in consideration of all known human-caused mortality, PBR
can help inform the potential effects of M/SI requested to be
authorized under 101(a)(5)(A). As noted by NMFS and the U.S. Fish and
Wildlife Service in our implementation regulations for the 1986
amendments to the MMPA (54 FR 40341, September 29, 1989), the Services
consider many factors, when available, in making a negligible impact
determination, including, but not limited to, the status of the species
or stock relative to OSP (if known); whether the recruitment rate for
the species or stock is increasing, decreasing, stable, or unknown; the
size and distribution of the population; and existing impacts and
environmental conditions. In this multi-factor analysis, PBR can be a
useful indicator for when, and to what extent, the agency should take
an especially close look at the circumstances associated with the
potential mortality, along with any other factors that could influence
annual rates of recruitment or survival.
When considering PBR during evaluation of effects of M/SI under
section 101(a)(5)(A), we first calculate a metric for each species or
stock that incorporates information regarding ongoing anthropogenic M/
SI from all sources into the PBR value (i.e., PBR minus the total
annual anthropogenic mortality/serious injury estimate in the SAR),
which is called ``residual PBR.'' (Wood et al., 2012). We first focus
our analysis on residual PBR because it incorporates anthropogenic
mortality occurring from other sources. If the ongoing human-caused
mortality from other sources does not exceed PBR, then residual PBR is
a positive number, and we consider how the anticipated or potential
incidental M/SI from the activities being evaluated compares to
residual PBR using the framework in the following paragraph. If the
ongoing anthropogenic mortality from other sources already exceeds PBR,
then residual PBR is a negative number and we consider the M/SI from
the activities being evaluated as described further below.
When ongoing total anthropogenic mortality from the applicant's
specified activities does not exceed PBR and
[[Page 27069]]
residual PBR is a positive number, as a simplifying analytical tool, we
first consider whether the specified activities could cause incidental
M/SI that is less than 10 percent of residual PBR (the ``insignificance
threshold,'' see below). If so, we consider M/SI from the specified
activities to represent an insignificant incremental increase in
ongoing anthropogenic M/SI for the marine mammal stock in question,
that alone (i.e., in the absence of any other take) will not adversely
affect annual rates of recruitment and survival. As such, this amount
of M/SI would not be expected to affect rates of recruitment or
survival in a manner resulting in more than a negligible impact on the
affected stock unless there are other factors that could affect
reproduction or survival, such as Level A and/or Level B harassment, or
other considerations such as information that illustrates the
uncertainty involved in the calculation of PBR for some stocks. In a
few prior incidental take rulemakings, this threshold was identified as
the ``significance threshold,'' but it is more accurately labeled an
insignificance threshold. Thus, we use that terminology here, as we did
in the AFTT Proposed and Final Rules (83 FR 57076; November 14, 2018).
Assuming that any additional incidental take by Level A or Level B
harassment from the activities in question would not combine with the
effects of the authorized M/SI to exceed the negligible impact level,
the anticipated M/SI caused by the activities being evaluated would
have a negligible impact on the species or stock. However, M/SI above
the 10 percent insignificance threshold does not indicate that the M/SI
associated with the specified activities is approaching a level that
would necessarily exceed negligible impact. Rather, the 10 percent
insignificance threshold is meant only to identify instances where
additional analysis of the anticipated M/SI is not required because the
negligible impact standard clearly will not be exceeded on that basis
alone.
Where the anticipated M/SI is near, at, or above residual PBR,
consideration of other factors (positive or negative), including those
outlined above, as well as mitigation is especially important to
assessing whether the M/SI will have a negligible impact on the species
or stock. PBR is a conservative metric and not sufficiently precise to
serve as an absolute predictor of population effects upon which
mortality caps would appropriately be based. For example, in some cases
stock abundance (which is one of three key inputs into the PBR
calculation) is underestimated because marine mammal survey data within
the U.S. EEZ are used to calculate the abundance, even when the stock
range extends well beyond the U.S. EEZ. An underestimate of abundance
could result in an underestimate of PBR. Alternatively, we sometimes
may not have complete M/SI data beyond the U.S. EEZ to compare to PBR,
which could result in an overestimate of residual PBR. The accuracy and
certainty around the data that feed any PBR calculation, such as the
abundance estimates, must be carefully considered to evaluate whether
the calculated PBR accurately reflects the circumstances of the
particular stock. M/SI that exceeds PBR may still potentially be found
to be negligible in light of other factors that offset concern,
especially when robust mitigation and adaptive management provisions
are included.
In Conservation Council for Hawaii v. NMFS, 97 F.Supp.3d 1210 (D.
Haw. 2015), which involved the challenge to NMFS' issuance of LOAs to
the Navy in 2013 for activities in the HSTT Study Area, the Court
reached a different conclusion, stating, ``Because any mortality level
that exceeds PBR will not allow the stock to reach or maintain its OSP,
such a mortality level could not be said to have only a `negligible
impact' on the stock.'' As described above, the Court's statement
fundamentally misunderstands the two terms and incorrectly indicates
that these concepts (PBR and ``negligible impact'') are directly
connected, when in fact nowhere in the MMPA is it indicated that these
two terms are equivalent.
Specifically, PBR was designed as a tool for evaluating mortality
and is defined as the number of animals that can be removed while
``allowing that stock to reach or maintain its [OSP].'' OSP is defined
as a population that falls within a range from the population level
that is the largest supportable within the ecosystem to the population
level that results in maximum net productivity, and thus is an
aspirational management goal of the overall statute with no specific
timeframe by which it should be met. PBR is designed to ensure minimal
deviation from this overarching goal, with the formula for PBR
typically ensuring that growth towards OSP is not reduced by more than
10 percent (or equilibrates to OSP 95 percent of the time). As PBR is
applied by NMFS, it provides that growth toward OSP is not reduced by
more than 10 percent, which certainly allows a stock to ``reach or
maintain its [OSP]'' in a conservative and precautionary manner--and we
can therefore clearly conclude that if PBR were not exceeded, there
would not be adverse effects on the affected species or stocks.
Nonetheless, it is equally clear that in some cases the time to reach
this aspirational OSP level could be slowed by more than 10 percent
(i.e., total human-caused mortality in excess of PBR could be allowed)
without adversely affecting a species or stock through effects on its
rates of recruitment or survival. Thus, even in situations where the
inputs to calculate PBR are thought to accurately represent factors
such as the species' or stock's abundance or productivity rate, it is
still possible for incidental take to have a negligible impact on the
species or stock even where M/SI exceeds residual PBR or PBR.
As noted above, in some cases the ongoing human-caused mortality
from activities other than those being evaluated already exceeds PBR.
Therefore, residual PBR is negative. In these cases (specifically two
GoM BSE stocks: Mississippi Sound and Mobile Bay), any additional
mortality, no matter how small, and no matter how small relative to the
mortality caused by other human activities, would result in greater
exceedance of PBR. PBR is helpful in informing the analysis of the
effects of mortality on a species or stock because it is important from
a biological perspective to be able to consider how the total mortality
in a given year may affect the population. However, section
101(a)(5)(A) of the MMPA indicates that NMFS shall authorize the
requested incidental take from a specified activity if we find that
``the total of such taking [i.e., from the specified activity] will
have a negligible impact on such species or stock.'' In other words,
the task under the statute is to evaluate the applicant's anticipated
take in relation to their take's impact on the species or stock, not
other entities' impacts on the species or stock. Neither the MMPA nor
NMFS' implementing regulations call for consideration of other
unrelated activities and their impacts on the species or stock. In
fact, in response to public comments on the implementing regulations,
NMFS explained that such effects are not considered in making
negligible impact findings under section 101(a)(5). However, the extent
to which a species or stock is being impacted by other anthropogenic
activities is not ignored. Such effects are reflected in the baseline
of existing impacts as reflected in the species' or stock's abundance,
distribution, reproductive rate, and other biological indicators.
NMFS guidance for commercial fisheries provides insight when
evaluating the effects of an applicant's incidental take as compared to
the
[[Page 27070]]
incidental take caused by other entities. Parallel to section
101(a)(5)(A), section 101(a)(5)(E) of the MMPA provides that NMFS shall
allow the incidental take of ESA-listed endangered or threatened marine
mammals by commercial fisheries if, among other things, the incidental
M/SI from the commercial fisheries will have a negligible impact on the
species or stock. As discussed earlier, the authorization of incidental
take resulting from commercial fisheries and authorization for
activities other than commercial fisheries are under two separate
regulatory frameworks. However, when it amended the statute in 1994 to
provide a separate incidental take authorization process for commercial
fisheries, Congress kept the requirement of a negligible impact
determination for ESA-listed species, thereby applying the standard to
both programs. While the structure and other standards of the two
programs differ such that evaluation of negligible impact under one
program may not be fully applicable to the other program (e.g., the
regulatory definition of ``negligible impact'' at 50 CFR 216.103
applies only to activities other than commercial fishing), guidance on
determining negligible impact for commercial fishing take
authorizations can be informative when considering incidental take
outside the commercial fishing context. In 1999, NMFS published
criteria for making a negligible impact determination pursuant to
section 101(a)(5)(E) of the MMPA in a notice of proposed permits for
certain fisheries (64 FR 28800; May 27, 1999). Criterion 2 stated ``If
total human-related serious injuries and mortalities are greater than
PBR, and fisheries-related mortality is less than 0.1 PBR, individual
fisheries may be permitted if management measures are being taken to
address non-fisheries-related serious injuries and mortalities. When
fisheries-related serious injury and mortality is less than 10 percent
of the total, the appropriate management action is to address
components that account for the major portion of the total.'' This
criterion addresses when total human-caused mortality is exceeding PBR,
but the activity being assessed is responsible for only a small portion
of the mortality. In the SEFSC proposed rule, NMFS' description of how
we consider PBR in the section 101(a)(5) authorization process did not
include consideration of this scenario. However, the analytical
framework we use here appropriately incorporates elements of the one
developed for use under section 101(a)(5)(E). And because the
negligible impact determination under section 101(a)(5)(A) focuses on
the activity being evaluated, it is appropriate to utilize the parallel
concept from the framework for section 101(a)(5)(E).
Accordingly, we are using a similar criterion in our negligible
impact analysis under section 101(a)(5)(A) to evaluate the relative
role of an applicant's incidental take when other sources of take are
causing PBR to be exceeded, but the take of the specified activity is
comparatively small. Where this occurs, we may find that the impacts of
the taking from the specified activity may (alone) be negligible, even
when total human-caused mortality from all activities exceeds PBR if
(in the context of a particular species or stock) the authorized
mortality or serious injury would be less than or equal to 10 percent
of PBR and management measures are being taken to address serious
injuries and mortalities from the other activities (i.e., other than
the specified activities covered by the incidental take authorization
under consideration). We must also determine, though, that impacts on
the species or stock from other types of take (i.e., harassment) caused
by the applicant do not combine with the impacts from mortality or
serious injury to result in adverse effects on the species or stock
through effects on annual rates of recruitment or survival.
As discussed above, however, while PBR is useful in informing the
evaluation of the effects of M/SI in section 101(a)(5)(A)
determinations, it is just one consideration to be assessed in
combination with other factors. It is not determinative including
because, as explained above, the accuracy and certainty of the data
used to calculate PBR for the species or stock must be considered. And
we reiterate the considerations discussed above for why it is not
appropriate to consider PBR an absolute cap in the application of this
guidance. Accordingly, we use PBR as a trigger for concern while also
considering other relevant factors to provide a reasonable and
appropriate means of evaluating the effects of potential mortality on
rates of recruitment and survival, while acknowledging that it is
possible to exceed PBR (or exceed 10 percent of PBR in the case where
other human-caused mortality is exceeding PBR but the specified
activity being evaluated is an incremental contributor, as described in
the last paragraph) by some small amount and still make a negligible
impact determination under section 101(a)(5)(A).
Our evaluation of the M/SI for each of the species and stocks for
which mortality or serious injury could occur follows. All mortality
authorized for some of the same species or stocks over the next several
years pursuant to our final rulemaking for the NMFS Southwest and
Pacific Islands Fisheries Science Centers has been incorporated into
the residual PBR.
We first consider maximum potential incidental M/SI for each stock
(Table 13 and 14) in consideration of NMFS's threshold for identifying
insignificant M/SI take (10 percent of residual PBR (69 FR 43338; July
20, 2004)). By considering the maximum potential incidental M/SI in
relation to residual PBR and ongoing sources of anthropogenic
mortality, we begin our evaluation of whether the potential incremental
addition of M/SI through SEFSC research activities may affect the
species' or stock's annual rates of recruitment or survival. We also
consider the interaction of those mortalities with incidental taking of
that species or stock by harassment pursuant to the specified activity.
We methodically examined each stock above the insignificance
threshold to determine if the amount and degree of authorized taking
would have effects to annual rates of recruitment or survival (i.e.,
have a negligible impact on the species or stock). These rates are
inherently difficult to quantify for marine mammals because adults of
long-lived, birth-pulse populations (e.g., many cetaceans, polar bears
and walrus) may not breed every year because of parental care, long
gestation periods or nutritional constraints (Taylor et al., 1987).
Therefore, we pursued a combination of quantitative and qualitative
analyses to inform our determinations.
First, we compiled data to assess the baseline population status of
each stock for which the SEFSC is requesting take. These data were
pulled from the most recent SARs (Hayes et al., 2017) and, where
information was unknown or undetermined in the SARs, we consulted
marine mammal experts at the SEFSC and on TRTs to fill data gaps to the
best of our ability based on the best available science. Data pulled
from these sources include population size and demographics (where
known), PBR, known mortality and serious injury from commercial and
recreational fishing and other human-caused sources (e.g., direct
shootings), stock trends (i.e., declining, stable, or increasing),
threats, and other sources of potential take M/SI (e.g., MMPA
101(a)(5)(A or D) applications and scientific research permit
applications). In addition, we looked at ongoing management actions
(e.g., TRT gear restrictions) to identify
[[Page 27071]]
where efforts are being focused and are successful at reducing
incidental take.
Estuarine and Coastal Bottlenose Dolphins
For estuarine bottlenose dolphin stocks, reaching our negligible
impact determination required a hard examination of the status of each
of the 7 ARA and 11 GOMRA stocks for which we authorized take. We
recognize that PBR is technically undetermined for many stocks because
abundance data is more than 8 years old. Therefore, we consulted with
marine mammal experts at the SEFSC to derive best estimates of PBR
based on the available data. Overall, PBR is low (less than one animal)
because stock sizes are generally small (tens to hundreds) in southeast
estuaries (with notable exceptions such as Mississippi Sound and Mobile
Bay). Stock sizes are expected to be small because the abundance of a
dolphin stock in an estuary is bounded by the capabilities of the bays
and estuarine systems to support that stock (i.e., carrying capacity of
the system) due to the residential nature of these stocks, among other
things. With respect to rates of annual M/SI, we note some fisheries in
the GoM (e.g., shrimp fishery) do not have full observer coverage.
Estimates of take from these fisheries are both extrapolated and
aggregated to the state level. Thus, calculating total M/SI rates from
commercial fisheries applicable to any given stock, rather than all
stocks within a state, not possible.
We approached the issue of outdated abundance information by
working closely with SEFSC experts and have developed estimated
abundance data and PBR values. The resulting values follow the general
trend of small stock sizes and are very conservative in some cases. For
example, recent abundance surveys in Barataria Bay and Terrebonne Bay
revealed stock numbers were in the thousands compared to the previously
estimated populations of approximately 200-300 animals (Hayes et al.,
2018). In addition, three stocks, including the Perdido Bay stock have
population estimates showing zero. However, it is well documented that
dolphins inhabit these areas. We also consulted with the NMFS Southeast
Regional Office (SERO) bottlenose dolphin conservation coordinator to
better understand the nature of the takes identified in the SARs M/SI
values (i.e., the source of take such as commercial fishery or
research). That is, if we relied solely on the SAR annual M/SI values
reported in the SARs and added the authorized M/SI take to these
numbers, we would be double-counting M/SI as some takes were attributed
to the research for which we are proposing to authorize take.
Therefore, where M/SI takes were contributed to SEFSC research, we have
adjusted annual M/SI values from Table 3b above so as not to ``double
count'' potential take. Table 13 reflects these adjustments.
In the ARA, the amount of take from all M/SI (both authorized here
and other sources) does not exceed PBR. M/SI take for ARA stocks is
below the insignificance threshold (10 percent r-PBR) except for the
Northern South Carolina Estuarine, Northern Georgia/Southern South
Carolina Estuarine, Central Georgia Estuarine, and Southern Georgia
Estuarine stocks (Table 13). Authorized M/SI take for the latter two
stocks are only slightly above the insignificance threshold (11.76 and
10.35 percent, respectively). The authorized take for the Northern
Georgia/Southern South Carolina stock constitutes 28.57 percent of r-
PBR. Sources of anthropogenic mortality for this stock include hook and
line and crab pot/trap fisheries. The authorized M/SI take (0.2/year)
of the Northern South Carolina stock is 50 percent of PBR. However,
considering an average of one animal every 5 years is taken in
commercial fisheries (likely gillnet or crab pot/trap), the authorized
take and annual M/SI constitute 100 percent of r-PBR. The Northern
South Carolina Estuarine System stock is delimited as dolphins
inhabiting estuarine waters from Murrells Inlet, South Carolina,
southwest to Price Inlet, South Carolina, the northern boundary of
Charleston Estuarine System stock. The region has little residential,
commercial, and industrial development and contains the Cape Romain
National Wildlife Refuge. As such, the stock is not facing heavy
anthropogenic pressure, and there are no identified continuous indirect
stressors threatening the stock.
For the nine estuarine stocks in the GOMRA for which we are
proposing to authorize take by M/SI, take is below the insignificance
threshold (10 percent r-PBR) for four stocks: Mobile Bay, Terrebonne
Bay/Timbalier Bay; St. Vincent Sound/Apalachicola Bay/St. George Sound,
and Apalachee Bay. As described above, we have updated the population
estimate and PBR of the Mobile Bay stock in this final rule to reflect
data presented in the DWH Trustees quantification of injury report (DWH
MMIQT 2015), which more accurately describes the Mobile Bay stock
abundance than the proposed rule as that estimate was based on outdated
(1991) survey data. The authorized M/SI take for three coastal stocks
are also below the insignificance threshold. The authorized M/SI take
for four BSE stocks are between 14 and 40 percent r-PBR. Ongoing M/SI
take attributed to the Mississippi Sound stock is already above PBR in
absence of the authorized M/SI take. (Table 13).
Table 13--Summary Information of Estuarine and Coastal Bottlenose Dolphin Stocks Related to SEFSC Authorized M/SI Take in the ARA, GOMRA, and CRA
--------------------------------------------------------------------------------------------------------------------------------------------------------
NEFSC
Stock Annual M/ authorized r-PBR 2 M/SI take/r-PBR (%) 3
Stock abundance M/SI take (annual) PBR SI take by M/SI
(Nbest) (annual)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Atlantic
--------------------------------------------------------------------------------------------------------------------------------------------------------
Northern South Carolina Estuarine 1 50 0.2..................... 1 0.4 0.2 0 0.2 100.00.
Stock.
Charleston Estuarine System Stock.. 1 289 0.2..................... 1 2.8 0.2 0 2.6 7.69.
Northern Georgia/Southern South 1 250 0.2..................... 1 2.1 1.4 0 0.7 28.57.
Carolina Estuarine.
Central Georgia Estuarine.......... 192 0.2..................... 1.9 0.2 0 1.7 11.76.
Southern Georgia Estuarine......... 194 0.2..................... 1.9 0 0 1.9 10.53.
Jacksonville Estuarine System...... 1 412 0.2..................... 1 3.9 1.2 0 2.7 7.41.
Florida Bay........................ 1 514 0.2..................... 1 4.5 0 0 4.5 4.44.
South Carolina/Georgia Coastal..... 6,027 0.6..................... 46 1.0-1.4 0 44.6-45 1.35.
Northern Florida Coastal........... 877 0.6..................... 6 0.6 0 5.4 11.11.
[[Page 27072]]
Central Florida Coastal............ 1,218 0.6..................... 9.1 0.2 0 8.9 6.74.
Northern Migratory Coastal......... 6,639 0.6..................... 48 6.1-13.2 1.6 33.2-43.5 0.4-0.6.
Southern Migratory Coastal......... 3,751 0.6..................... 23 14.3 1.6 7.1 8.45.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gulf of Mexico
--------------------------------------------------------------------------------------------------------------------------------------------------------
Terrebonne Bay, Timbalier Bay...... 3,870 0.2..................... 27 0.2 0 26.8 0.75.
Mississippi River Delta............ 332 0.2..................... 1.4 4 0 0 1.4 14.29.
Mississippi Sound, Lake Borgne, Bay 3,046 .02 (M/SI), 0.2 (Level 23 310 0 -287 Neg.
Boudreau 5. A).
Mobile Bay, Bonsecour Bay.......... 1,393 0.2..................... 6 13 5 0.8 0 12.2 1.6.
St. Andrew Bay..................... 199 0.2..................... 1.5 0.2 0 1.3 15.4.
St. Joseph Bay..................... 142 0.2..................... 1.0 0 0 1.0 20.0.
St. Vincent Sound, Apalachicola 439 0.2..................... 1 3.91 0 0 3.91 5.12.
Bay, St. George Sound.
Apalachee Bay...................... 491 0.2..................... 1 3.61 0 0 3.61 5.54.
Waccasassa Bay, Withlacoochee Bay, 1 100 0.2..................... 1 0.5 0 0 0.5 40.00.
Crystal Bay.
Northern Gulf of Mexico Western 20,161 0.6..................... 175 0.6 0 174.4 0.34.
Coastal Stock.
Northern Gulf of Mexico Northern 7,185 0.6..................... 60 0.4 0 59.6 1.01.
Coastal Stock.
Northern Gulf of Mexico Eastern 12,388 0.6..................... 111 1.6 0 109.4 0.55.
Coastal Stock.
--------------------------------------------------------------------------------------------------------------------------------------------------------
1 For many estuarine stocks, the draft 2019 SAR has unknown abundance estimates and undetermined PBRs. Where this occurred, we used either the most
recent estimates (even if more than 8 years old) or we consulted with SEFSC marine mammal experts for best judgement (pers. comm., K. Mullin).
2 r-BPR = PBR--(annual M/I + NEFSC authorized take). For example, for the southern migratory coastal stock r-PBR = 23-(14.3 + 1.6).
3 Values in the column reflect what the take represents as a percentage of r-PBR. The insignificance threshold is 10 percent.
4 The annual M/SI in the draft 2019 SAR is 0.2 for the Mississippi River stock. However, the takes considered were from gillnet fishery research.
Therefore, we reduced M/SI to 0.
5 The annual M/SI in the draft 2019 SAR is 1.0. However, one take used in those calculations is from fisheries research for which we propose to
authorize take. Therefore, we reduced M/SI to 0.8.
6 PBR for the Mobile Bay stock was derived from the lower 95 percent confidence interval presented in DHW MIQTT 2015 (Nmin = 1252). We calculated PBR as
1252 * 0.02 * 0.4 = 13.
For the Mississippi Sound stock, we evaluated various aspects of
stock status and considered the amount of SEFSC M/SI compared to PBR.
As described above, we may find that the impacts of the taking from the
specified activity may be negligible even when total human-caused
mortality from all activities exceeds PBR if (in the context of a
particular species or stock) the authorized mortality or serious injury
would be less than or equal to 10 percent of PBR and management
measures are being taken to address serious injuries and mortalities
from the other activities (i.e., other than the specified activities
covered by the incidental take authorization under consideration). In
this case, authorized M/SI take is less than 10 percent of PBR and
management actions are in place to address M/SI from other sources.
According to this stock's 2017 SAR, the mean annual fishery-related
mortality and serious injury during 2012-2015 for observed fisheries
and strandings and at-sea observations identified as fishery-caused
related is 1.0. Additional mean annual mortality and serious injury
during 2011-2015 due to other human-caused actions (fishery research,
sea turtle relocation trawling, gunshot wounds, and DWH oil spill) is
309 with the majority sourced from DWH. Projected annual M/SI over the
next 5 years from commercial fishing and DWH are 6 and 1539 (or 1.2 and
308, annually), respectively.
Management and research actions, including ongoing health
assessments and Natural Resource Damage Plan efforts designed to
restore injury to the stock, are anticipated to improve the status of
the stock moving forward. In June 2017, the Deepwater Horizon (DWH) oil
spill Natural Resource Damage Assessment (NRDA) Trustees (Trustees)
released a ``Strategic Framework for Marine Mammal Restoration
Activities.'' The framework outlines the following general actions:
Implement an integrated portfolio of restoration
approaches to restore injured Bay, Sound, and Estuary (BSE); coastal;
shelf; and oceanic marine mammals across the diverse habitats and
geographic ranges they occupy.
Identify and implement restoration activities that
mitigate key stressors to support resilient populations. Collect and
use monitoring information, such as population and health assessments
and spatiotemporal distribution information.
Identify and implement actions that support ecological
needs of the stocks; improve resilience to natural stressors; and
address direct human-caused threats such as bycatch in commercial
fisheries, vessel collisions, noise, industrial activities, illegal
feeding and harassment, and hook-and-line fishery interactions.
NMFS is also currently investigating a number of actions to reduce
both intentional and incidental mortality and serious injury for all
GOM BSE stocks, including Mississippi Sound and Mobile Bay. These
efforts include working collaboratively with shrimp fishermen to
explore ways to modify fishing gear that would reduce bycatch of
dolphins; enhancing observer coverage & data collection on shrimp
[[Page 27073]]
trawls; working collaboratively to reduce dolphin mortality from
intentional mortality (gunshot, arrows) and illegal feeding activities
by enhancing state law enforcement and conducting outreach; and
building capacity and preparedness of the marine mammal stranding
network.
Further, marine mammal population modeling indicates dolphin
populations should begin recovery nine years post spill (NRDA Trustees,
2016; DWH MMIQT 2015). Applying that model to the Mississippi Sound
stock, we should begin to see the population recover during the life of
the regulations. Moreover, we note the three research-related
mortalities discussed in the SAR for this stock are from the specified
activities for which we have authorized take. Therefore, the authorized
take would not be in addition to, but would account for, these
research-related takes.
In addition to quantitative comparisons between the issued amount
of M/SI take to PBR and r-PBR, we consider qualitative information such
as population dynamics and context to determine if the authorized
amount of take of estuarine and coastal bottlenose dolphins in the ARA
and GOMRA would adversely affect a stock through effects of annual
rates of recruitment and survival. Marine mammals are K-selected
species, meaning they have few offspring, long gestation and parental
care periods, and reach sexual maturity later in life. Therefore,
between years, reproduction rates vary based on age and sex class
ratios. As such, population dynamics is a driver when looking at
reproduction rates. We focus on reproduction here because we
conservatively consider inter-stock reproduction is the primary means
of recruitment for these stocks. We note this is a conservative
assumption, as some individuals are known to travel, and there is some
mixing between the estuarine stocks and adjacent coastal stocks (Hayes
et al, 2017). Given reproduction is the primary means of recruitment
and females play a significantly larger role in their offspring's
reproductive success (also known as Bateman's Principle), the mortality
of females rather than males is, in general, more likely to influence
recruitment rate. Several studies have purported that male bottlenose
dolphins are more likely to engage in depredation or related behaviors
with trawls and recreational fishing (Corkeron et al., 1990; Powell &
Wells, 2011) or become entangled in gear (Reynolds et al., 2000; Adimey
et al., 2014). Male bias has also been reported for strandings with
evidence of fishery interaction (Stolen et al., 2007; Fruet et al.,
2012; Adimey et al., 2014) and for in situ observations of fishery
interaction (Corkeron et al., 1990; Finn et al., 2008; Powell & Wells,
2011). Byrd and Hohn (2017) examined stranding data to determine
whether there was differential risk of bycatch based on sex and age
class from gillnet fisheries in North Carolina. They found more males
than females stranded. However, the relative gillnet bycatch risk was
not different for males and females. In summary, these data suggest the
risk of gear interaction from trawls and hook and line is likely higher
for males, while gillnet interactions may pose equal risk for males and
females. For this rulemaking, the majority of historical gear
interactions are from trawls. Therefore, we believe males (which are
less likely to influence recruitment rate) are more likely at risk than
females.
Understanding the population dynamics of each bottlenose dolphin
stock considered in this rulemaking is not possible as the data simply
do not exist for each stock. Therefore, we considered a well-studied
population, the Sarasota Bay stock, as a proxy for assessing population
dynamics of other estuarine stocks throughout the ARA and GOMRA. The
Sarasota Bay stock is the most data rich population of bottlenose
dolphins in the United States. The Sarasota Bay Research Program (SBRP)
possesses 40 years of data on the resident dolphin population. Research
topics include, but are not limited to, population structure and
dynamics, health and physiology, and human interaction and impacts.
The Sarasota Bay stock demonstrates high recruitment and survival
rates. Wells et al. (2014) found 83 percent (95 percent CI = 0.52 to
0.99) of detected pregnancies were documented as resulting in live
births. Eight of the 10 calves (80 percent) resulting from documented
pregnancies survived through the calendar year of their birth and,
therefore, were considered to have been successfully recruited into the
Sarasota Bay bottlenose dolphin population. This value compares
favorably with the 81 percent first year survival reported by Wells &
Scott (1990) for Sarasota Bay bottlenose dolphins. Thus, approximately
66 percent of documented pregnancies led to successful recruitment.
Mann et al. (2000) found dolphin interbirth intervals for surviving
calves are between 3 and 6.2 years, resulting in annual variability in
reproductive rates.
With respect to survival, Wells and Scott (1990) calculated a mean
annual survival rate of Sarasota Bay dolphins at 96.2 percent. In
comparison, a mark-recapture study of dolphins near Charleston, South
Carolina reported an apparent annual survival rate of 95.1 percent (95
percent CI: 88.2-100) (Speakman et al., 2010). In summary, survival
rate and reproductive success of the Sarasota Bay stock is high and,
except for those stocks for which we know individual marine mammal
health and reproductive success are compromised from the Deepwater
Horizon oil spill (e.g., Mississippi Sound stock), we consider
estuarine bottlenose stocks in the ARA and GOMRA to have similar rates
of recruitment and survival.
For stocks that are known to be experiencing levels of stress from
fishing and other anthropogenic sources, we look toward the ongoing
management actions and research designed to reduce those pressures when
considering our negligible impact determination. Overall, many
estuarine bottlenose dolphin stocks are facing anthropogenic stressors
such as commercial and recreational fishing, coastal development,
habitat degradation (e.g., oil spills, harmful algal blooms), and
directed violence (intentional killing/injury) and have some level of
annual M/SI. NOAA, including the SEFSC, is dedicated to reducing
fishery take, both in commercial fisheries and research surveys. For
example, the Atlantic BDTRT is in place to decrease M/SI in commercial
fisheries and scientists at NOAA's National Center for Coastal Ocean
Science (NCCOS) in Charleston, South Carolina, are undertaking research
and working with local fishermen to reduce crab pot/trap and trawling
entanglement (e.g., McFee et al., 2006, 2007; Greenman and McFee,
2014). In addition, through this rulemaking, the SEFSC has invested in
developing measures that may be adopted by commercial fisheries to
reduce bycatch rates, thereby decreasing the rate of fishing-related M/
SI. For example, in 2017, the SEFSC executed the previously described
Lazy Line Modification Mitigation Work Plan (see Potential Effects of
Specified Activities on Marine Mammals and Their Habitat section) and
is investigating the feasibility of applying gear modifications to
select research trawl surveys. Also, as a result of this rulemaking
process, the SEFSC has a heightened awareness of the risk of take and a
commitment to not only implement the mitigation measures in this
rulemaking but to develop additional mitigation measures beyond this
rule that they find effective and practicable. Because all NMFS Science
Centers are dedicated to decreasing gear
[[Page 27074]]
interaction risk, each Science Center is also committed to sharing
information about reducing marine mammal bycatch, further educating
fishery researchers on means by which is to make best professional
judgements and minimize risk of take.
Region-wide, Gulf of Mexico states, in coordination with Federal
agencies, are taking action to recover from injury sustained during the
DWH spill. Funds from the spill have been allocated specifically for
marine mammal restoration to the Florida, Alabama, Mississippi,
Louisiana, Texas, Open Ocean, and Region-wide Trustee Implementation
Groups (TIGs). As described above, in June 2017, the Trustees released
their Strategic Framework for Marine Mammal Restoration Activities. The
framework includes a number of marine mammal restoration goals (listed
above) which would improve marine mammal populations over the course of
the regulations by, among other things, increasing marine mammal
resilience to natural stressors and addressing direct human-caused
threats such as bycatch in commercial fisheries, vessel collisions,
noise, industrial activities, illegal feeding and harassment, and hook-
and-line fishery interactions. The Alabama TIG has made the most
progress on executing this strategic framework. In 2018, the Alabama
TIG committed to three projects designed to restore marine mammals: (1)
Enhancing Capacity for the Alabama Marine Mammal Stranding Network; (2)
Assessment of Alabama Estuarine Bottlenose Dolphin Populations & Health
(including the Mobile Bay stock); and (3) Alabama Estuarine Bottlenose
Dolphin Protection: Enhancement & Education.
Since publication of the proposed rule, an unusual mortality event
(UME) has been declared for dolphins in the Gulf of Mexico, including
BSE dolphins. We consider this UME in the context of our negligible
impact determination since it was (a) recent, (b) is ongoing, and (c)
most notably impacted BSE stocks (e.g., Mobile Bay) for which we
authorized M/SI take. Elevated bottlenose dolphin strandings have been
occurring in the Northern Gulf of Mexico including Louisiana (n = 114),
Mississippi (n = 139), Alabama (n = 58), and the panhandle of Florida
(Alabama border through Franklin County; n = 38) since February 1,
2019. As of January 2, 2020, these 342 dolphin stranding rate is
approximately three times higher than the average. The UME
investigation is ongoing and, to date, no specific causes have been
identified. However, a number of the stranded dolphins have had visible
skin lesions that are consistent with freshwater exposure. During the
spring season, it is not uncommon to see a reduction of salinity in
bays, sounds, and estuaries and also an increase in dolphins (both live
free swimming and stranded) exhibiting visible skin lesions consistent
with low salinity exposure. These freshets may be a result of local
rainfall and/or watershed flow from upstream snow melt or flood events
emptying into the bays, sounds and estuaries of the Gulf of Mexico.
Last year (2019) was an especially wet year with high levels of
rainfall in addition to the opening of the spillways due to the extreme
flooding upstream (e.g., the Bonnet-Carre spillway was open 76 days
(January-June 11, 2019) affecting areas east of the Mississippi River
outflow). The majority of strandings associated with this UME occurred
prior to July with the stranding rate decreasing over the last several
months. For example, of the total 342 strandings since February 1,
2019, 289 occurred prior to July 5, 2019 (5 months). Between July 5,
2019 and October 3, 2019 (3 months), there were 28 strandings and
between October 4, 2019 and January 2, 2020 (3 months), there were 25
strandings. Therefore, although the UME is ongoing, the rate of
mortality is decreasing.
For all estuarine stocks, 0.2 M/SI annually means the potential for
one mortality in 1 of the 5 years and zero mortalities in 4 of those 5
years. Therefore, the SEFSC would not be contributing to the total
human-caused mortality at all in 4 of the 5, or 80 percent, of the
years covered by this rule. That means that even if a dolphin from any
estuarine stock were to be killed or seriously injured as a result of
fisheries research, in 4 of the 5 years there could be no effect on
annual rates of recruitment or survival from SEFSC-caused M/SI.
Additionally, as noted previously, the loss of a male, which we have
demonstrated is more likely when trawling is the cause of take, would
have far less, if any, effect on annual rates of recruitment or
survival. As described above, male bias has been documented for
strandings with evidence of fishery interaction (most notably trawls),
and the majority of work assessed under this rule is trawling.
Therefore, there is likely a greater than 50 percent chance a male
could be taken, further decreasing the likelihood of impact on annual
rates of recruitment or survival.
In situations like this where potential M/SI take is fractional
(e.g., 0.2 per year), consideration must be given to the lessened
impacts anticipated due to the absence of M/SI in four of the years and
due to the fact that a single M/SI from gear interaction is more likely
to be male. Lastly, we reiterate that PBR is a conservative metric and
also not sufficiently precise to serve as an absolute predictor of
population effects upon which mortality caps would appropriately be
based. This is especially important given the minor difference between
zero and one across the 5-year period covered by this rule, which is
the smallest distinction possible when considering mortality. Wade
(1998), authors of the paper from which the current PBR equation is
derived, note (on page 29) that ``Estimating incidental mortality in
one year to be greater than the PBR calculated from a single abundance
survey does not prove the mortality will lead to depletion; it
identifies a population worthy of careful future monitoring and
possibly indicates that mortality-mitigation efforts should be
initiated.''
Offshore Pelagic Stocks
For all offshore pelagic stocks where PBR is known, except for gray
seal, the level of taking is less than 10 percent of r-PBR after
considering other sources of human-caused mortality (Table 14). Again,
for those stocks with total incidental M/SI take less than the
significance threshold (i.e., ten percent of residual PBR), we consider
the effects of the specified activity to represent an insignificant
incremental increase in ongoing anthropogenic M/SI and need not
consider other factors in making a negligible impact determination
except in combination with additional incidental take by acoustic
harassment.
[[Page 27075]]
Table 14--Summary Information of Pelagic Stocks Related to Authorized M/SI Take to the SEFSC in the ARA, GOMRA, and CRA
--------------------------------------------------------------------------------------------------------------------------------------------------------
NEFSC
authorized
Species Stock M/SI take PBR Annual M/SI take by M/ r-PBR MI/SI take/ r-
(annual) (SAR) SI PBR (%)
(annual)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Risso's dolphin.................. Western North 0.2 126.............. 49.9............. 0.6 75.5............ 0.26.
Atlantic.
N. Gulf of Mexico... 0.2 16............... 7.9.............. 0 8.1............. 2.47.
Puerto Rico/USVI.... 0.2 15............... 0.5.............. 0 14.5............ 1.38.
Melon headed whale............... N. Gulf of Mexico... 0.6 13............... 0................ 0 13.............. 4.62.
Short-finned pilot whale......... Western North 0.2 236.............. 168.............. 0 68.............. 0.29.
Atlantic.
N. Gulf of Mexico... 0.2 15............... 0.5.............. 0 14.5............ 1.38.
Puerto Rico/USVI.... 0.2 unk.............. unk.............. 0 unk............. unk.
Common dolphin................... Western North 0.8 557.............. 406.............. 1.4 149.6........... 0.53.
Atlantic.
Atlantic spotted dolphin......... Western North 0.8 316.............. 0................ 0.4 315.6........... 0.25.
Atlantic.
N. Gulf of Mexico... 0.8 undet............ 42............... 0 unk............. unk.
Puerto Rico/USVI.... 0.2 unk.............. unk.............. 0 unk............. unk.
Pantropical spotted dolphin...... Western North 0.2 17............... 0................ 0 17.............. 1.18.
Atlantic.
N. Gulf of Mexico... 0.8 407.............. 4.4.............. 0 402.6........... 0.20.
Striped dolphin.................. Western North 0.6 428.............. 0................ 0 428............. 0.14.
Atlantic.
N. Gulf of Mexico... 0.6 10............... 0................ 0 10.............. 6.00.
Spinner dolphin.................. Western North 0 unk.............. 0................ 0 unk.............
Atlantic.
N. Gulf of Mexico... 0.6 62............... 0................ 0 62.............. 0.
Puerto Rico/USVI.... 0 unk.............. unk.............. 0 unk............. 0.
Rough-toothed dolphin............ Western North 0 1.3.............. 0................ 0 1.3............. 0.
Atlantic.
N. Gulf of Mexico... 0.2 3................ 0.8.............. 0 2.2............. 9.09.
Bottlenose dolphin............... Western North 0.8 561.............. 39.4............. 1.6 520............. 0.15.
Atlantic Offshore.
N. Gulf of Mexico 0.8 60............... 0.4.............. 0 59.6............ 1.34.
Oceanic.
N. Gulf of Mexico 0.8 469.............. 0.8.............. 0 468.2........... 0.17.
Continental Shelf.
Puerto Rico/USVI.... 0.2 unk.............. 0................ 0 unk............. unk.
Harbor porpoise.................. Gulf of Maine/Bay of 0.2 706.............. 437.............. 0 269............. 0.07.
Fundy.
Unidentified delphinid........... Western North 0.2 ................. ................. 0.6 n/a............. n/a.
Atlantic.
N. Gulf of Mexico... 0.2 ................. ................. 0 n/a............. n/a.
Puerto Rico/USVI.... 0.2 ................. ................. 0 n/a............. n/a.
Harbor seal...................... Western North 0.2 2,006............ 389.............. 12 1,605........... 0.01.
Atlantic.
Gray seal........................ Western North 0.2 1,389............ 5,688............ .......... -4,299.......... Neg.
Atlantic.
--------------------------------------------------------------------------------------------------------------------------------------------------------
Gray seals are the only stock where, at first look, annual M/SI is
above PBR (but the authorized M/SI is less than 10 percent of PBR)
(Table 14). However, the minimum abundance estimate provided in the SAR
is based on the U.S. population estimate of 23,158 and does not include
the Canada population. The total estimated Canadian gray seal
population in 2016 was estimated to be 424,300 (95 percent CI = 263,600
to 578,300) (DFO 2017). This would be acceptable except that the annual
M/SI rate of 5,688 includes M/SI from both the U.S. and Canada
populations. Therefore, we should compare population to population. The
draft 2018 SAR indicates the annual M/SI for the U.S. population is
878. That equates to an r-PBR of 511. Considering the SEFSC is
requesting one take, by M/SI, of gray seal over 5 years (or 0.2 animals
per year), this results in a percentage of 0.003, well under the 10
percent insignificance threshold. Further, given the authorized M/SI
take of one animal over 5 years, this amount of take can be considered
discountable given the large population size.
We note that for all stocks, we have conservatively considered in
this analysis that any gear interaction would result in mortality or
serious injury when it has been documented that some gear interactions
may result in Level A harassment (injury) or no injury at all, as
serious injury determinations are not made in all cases where the
disposition of the animal is ``released alive'' and, in some cases,
animals are disentangled from nets without any injury observations
(e.g., no wounds, no blood in water, etc).
Level B Take From Acoustic Sources
As described in greater depth previously, we do not believe that
SEFSC use of active acoustic sources has the likely potential to result
in Level A harassment, serious injury, or mortality. In addition, for
the majority of species, the annual take by Level B harassment is very
low in relation to the population abundance estimate (less than one
percent). We have produced what we believe to be precautionary
estimates of potential incidents of Level B harassment (Table 12). The
procedure for producing these estimates, described in detail in
Estimated Take Due to Acoustic Harassment, represents NMFS' best effort
towards balancing the need to quantify the potential for occurrence of
Level B harassment due to production of underwater sound with a general
lack of information related to the specific way that these acoustic
signals, which are generally highly directional and transient, interact
with the physical environment and to a meaningful understanding of
marine mammal perception of these signals and occurrence in the areas
where the SEFSC operates. The sources considered here have moderate to
high output frequencies (10 to 180 kHz), generally short ping
durations, and are typically focused (highly directional with narrow
beam width) to serve their intended purpose of mapping specific
objects, depths, or environmental features. In addition, some of these
sources can be operated in different output modes (e.g., energy can be
distributed among multiple output beams) that may lessen the likelihood
of perception by and potential impacts on marine mammals in comparison
with the quantitative
[[Page 27076]]
estimates that guide our take authorization.
As described previously, there is some minimal potential for
temporary effects to hearing capabilities within specific frequency
ranges for select marine mammals, but most effects would likely be
limited to temporary behavioral disturbance. If individuals are in
close proximity to active acoustic sources, they may temporarily
increase swimming speeds (presumably swimming away from the source) and
surface time or decrease foraging effort (if such activity were
occurring). These reactions are considered to be of low severity due to
the short duration of the reaction. Individuals may move away from the
source if disturbed. However, because the source is itself moving and
because of the directional nature of the sources considered here, it is
unlikely any temporary displacement from areas of significance would
occur, and any disturbance would be of short duration. In addition,
because the SEFSC survey effort is widely dispersed in space and time,
repeated exposures of the same individuals would be very unlikely. For
these reasons, we do not consider the level of take by acoustic
disturbance to represent a significant additional population stressor
when considered in context with the level of take by M/SI for any
species. Further, we note no take by harassment is for estuarine
bottlenose dolphins. Therefore, only M/SI is incorporated into our
negligible impact analysis for those stocks. For Level B take of
coastal stocks in both the ARA and GOMRA, it is not possible to
quantify take per stock given overlap in time and space. However, we
consider the anticipated amount of take to have the potential to occur
from some combination of coastal stocks.
Summary of Negligible Impact Determination for SEFSC
In summary, we consider the authorization would not impact annual
rates of recruitment or survival of any of the stocks considered here
because: (1) The possibility of injury, serious injury, or mortality
from the use of active acoustic devices may reasonably be considered
discountable; (2) the anticipated incidents of Level B harassment from
the use of active acoustic devices consist of, at worst, temporary and
relatively minor modifications in behavior; (3) the predicted number of
incidents of potential mortality are at insignificant levels (i.e.,
below ten percent of residual PBR) for select stocks; (4) consideration
of more detailed data for gray seals do not reveal cause for concern;
(5) for stocks above the insignificance threshold, the loss of one
animal over 5 years, especially if it is male (the sex more likely to
interact with trawls), is not likely to contribute to measurable
changes in annual rates of recruitment or survival; (7) many stocks are
subjected to ongoing management actions designed to improve stock
understanding and reduce sources of M/SI from other anthropogenic
stressors (e.g., BDTRT management actions, pelagic longline TRT); (8)
the efforts by the DHW Trustees are designed to restore for injury,
including addressing ongoing stressors such as commercial fishery
entanglement which would improve stock conditions; (9) implementation
of this rule would build upon research designed to reduce fishery
related mortality (e.g., NCCOS crab pot/trap and trawl interaction
research; HSU lazy line research); (10) the presumed efficacy of the
planned mitigation measures in reducing the effects of the specified
activity to the level of least practicable adverse impact, and (11) M/
SI is more likely to be attributed to males and M/SI for all BSE stocks
is the lowest level practicable (1 over 5 years) with no M/SI occurring
in 4 of those 5 years.
Based on the analysis contained herein of the likely effects of the
specified activity on marine mammals and their habitat, and taking into
consideration the implementation of the monitoring and mitigation
measures, NMFS preliminarily finds that the total marine mammal take
from SEFSC fisheries research activities will have a negligible impact
on affected marine mammal species or stocks.
Small Numbers
As noted above, only small numbers of incidental take may be
authorized under Section 101(a)(5)(D) of the MMPA for specified
activities other than military readiness activities. The MMPA does not
define small numbers and so, in practice, where estimated numbers are
available, NMFS compares the number of individuals taken to the most
appropriate estimation of abundance of the relevant species or stock in
our determination of whether an authorization is limited to small
numbers of marine mammals. Additionally, other qualitative factors may
be considered in the analysis, such as the temporal or spatial scale of
the activities.
Small Numbers Analysis--SEFSC
The total amount of take authorized for all estuarine and coastal
bottlenose dolphin stocks is less than one percent of each estuarine
stock and less than 12 percent of all coastal stocks (Table 15; we note
this 12 percent is conservatively high because it considers that all
Level B take would come from any given single stock). For pelagic
stocks, the total amount of take is less than 13 percent of the
estimated population size (Table 16).
Table 15--Amount of Authorized Take of Estuarine and Coastal Bottlenose Dolphin Stocks in the ARA and GOMRA
Related to Stock Abundance
----------------------------------------------------------------------------------------------------------------
Stock
Stock abundance Level B take M/SI take (annual) Take %
(Nbest) population
----------------------------------------------------------------------------------------------------------------
Atlantic
----------------------------------------------------------------------------------------------------------------
Northern South Carolina Estuarine 50 0 0.2....................... 0.40
Stock.
Charleston Estuarine System Stock... 289 0.2....................... 0.07
Northern Georgia/Southern South 250 0.2....................... 0.08
Carolina Estuarine System Stock.
Central Georgia Estuarine System.... 192 0.2....................... 0.10
Southern Georgia Estuarine System 194 0.2....................... 0.10
Stock.
Jacksonville Estuarine System Stock. 412 0.2....................... 0.05
Florida Bay Stock................... 514 0.2....................... 0.04
South Carolina/Georgia Coastal Stock 6,027 0.6....................... 0.01
Northern Florida Coastal Stock...... 877 110 0.6....................... 12.61
Central Florida Coastal Stock....... 1,218 0.6....................... 9.08
Northern Migratory Coastal Stock.... 6,639 0.6....................... 1.67
[[Page 27077]]
Southern Migratory Coastal Stock.... 3,751 0.6....................... 2.95
----------------------------------------------------------------------------------------------------------------
Gulf of Mexico
----------------------------------------------------------------------------------------------------------------
Terrebonne Bay, Timbalier Bay....... 100 0 0.2....................... 0.20
Mississippi River Delta............. 332 0.2....................... 0.06
Mississippi Sound, Lake Borgne, Bay 3,046 0.2 (M/SI), 0.2 (Level A). 0.01
Boudreau.
Mobile Bay, Bonsecour Bay........... 1,393 0.2....................... 0.16
St. Andrew Bay...................... 124 0.2....................... 0.16
St. Joseph Bay...................... 152 0.2....................... 0.13
St. Vincent Sound, Apalachicola Bay, 439 0.2....................... 0.05
St. George Sound.
Apalachee Bay....................... 491 0.2....................... 0.04
Waccasassa Bay, Withlacoochee Bay, 100 0.2....................... 0.20
Crystal Bay.
Northern Gulf of Mexico Western 20,161 350 0.6....................... 1.74
Coastal Stock.
Northern Gulf of Mexico Northern 7,185 0.6....................... 4.88
Coastal Stock.
Northern Gulf of Mexico Eastern 12,388 0.6....................... 2.83
Coastal Stock.
----------------------------------------------------------------------------------------------------------------
Table 16--Amount of Authorized Take of Pelagic Stocks in the ARA, GOMRA, and CRA to the SEFSC Related to Stock Abundance
--------------------------------------------------------------------------------------------------------------------------------------------------------
Level B take M/SI take
Species Stock Abundance (Nbest) (annual) (annual) Total take % population
--------------------------------------------------------------------------------------------------------------------------------------------------------
N. Atlantic right whale.............. Western North Atlantic.. 451........................ 4 0 0.89
Fin whale............................ Western North Atlantic.. 1,618...................... 4 0 0.25
Sei whale............................ Western North Atlantic.. 357........................ 4 0 1.12
Blue whale........................... Western North Atlantic.. 33......................... 4 0 12
Humpback whale....................... Gulf of Maine........... 896........................ 4 0 0.45
Minke whale.......................... Western North Atlantic.. 2,591...................... 4 0 0.15
Bryde's whale........................ Northern Gulf of Mexico. 33......................... 4 0 12.12
Sperm whale.......................... North Atlantic.......... 2,288...................... 4 0 0.17
Northern Gulf of Mexico. 763........................ 17 0 2.23
Puerto Rico/USVI........ unk........................ 4 0 unk.
Risso's dolphin...................... Western North Atlantic.. 18,250..................... 15 0.2 0.08
N. Gulf of Mexico....... 2,442...................... 10 0.2 0.42
Puerto Rico/USVI........ 21,515..................... 10 0.2 0.05
Kogia................................ Western North Atlantic.. 3,785...................... 10 0 0.26
N. Gulf of Mexico....... 186........................ 12 0 6.45
Beaked whales........................ Western North Atlantic.. 7,092...................... 9 0 0.13
N. Gulf of Mexico....... 149........................ 8 0 5.37
Melon headed whale................... N. Gulf of Mexico....... 2,235...................... 100 0.6 4.50
Short-finned pilot whale............. Western North Atlantic.. 28,924..................... 48 0.2 0.17
N. Gulf of Mexico....... 2,415...................... 25 0.2 1.04
Puerto Rico/USVI........ unk........................ 20 0.2 unk.
Common dolphin....................... Western North Atlantic.. 70,184..................... 268 0.8 0.38
Atlantic spotted dolphin............. Western North Atlantic.. 44,715..................... 37 0.8 0.08
N. Gulf of Mexico....... unk........................ 198 0.8 unk.
Puerto Rico/USVI........ unk........................ 50 0.2 unk.
Pantropical spotted dolphin.......... Western North Atlantic.. 3,333...................... 78 0.2 2.35
N. Gulf of Mexico....... 50,807..................... 203 0.8 0.40
Striped dolphin...................... Western North Atlantic.. 54,807..................... 75 0.6 0.14
N. Gulf of Mexico....... 1,849...................... 46 0.6 2.52
Spinner dolphin...................... Western North Atlantic.. unk........................ 100 0 unk.
N. Gulf of Mexico....... 11,441..................... 200 0.6 1.75
Puerto Rico/USVI........ unk........................ 50 0 unk.
Rough-toothed dolphin................ Western North Atlantic.. 136........................ 10 0 7.35
N. Gulf of Mexico....... 624........................ 20 0.2 3.24
Bottlenose dolphin................... Western North Atlantic 77,532..................... 39 0.8 0.05
Offshore.
N. Gulf of Mexico 5,806...................... 100 0.8 1.74
Oceanic.
N. Gulf of Mexico 51,192..................... 350 0.8 0.69
Continental Shelf.
Puerto Rico/USVI........ unk........................ 50 0.2 unk.
Harbor porpoise...................... Gulf of Maine/Bay of 79,833..................... 0 0.2 0.00
Fundy.
Unidentified delphinid............... Western North Atlantic.. n/a........................ 0 0.2 n/a
N. Gulf of Mexico....... 0.2
Puerto Rico/USVI........ 0.2
Harbor seal.......................... Western North Atlantic.. 75,834..................... 0 0.2 0.00
Gray seal............................ Western North Atlantic.. 27,131..................... 0 0.2 0.00
--------------------------------------------------------------------------------------------------------------------------------------------------------
[[Page 27078]]
The majority of stocks would see take less than 5 percent of the
population taken with the greatest being 12.12 percent from Bryde's
whales in the Gulf of Mexico. However, this is assuming all takes came
from the same stock of beaked whales which is unlikely. Where stock
numbers are unknown, we would expect a similar small amount of take
relative to population sizes.
Based on the analysis contained herein of the proposed activity
(including the mitigation and monitoring measures) and the authorized
take of marine mammals, NMFS finds that small numbers of marine mammals
will be taken relative to the population size of the affected species
or stocks.
Unmitigable Adverse Impact Analysis and Determination
There are no relevant subsistence uses of the affected marine
mammal stocks or species implicated by the issuance of regulations to
the SEFSC. Therefore, NMFS has determined that the total taking of
affected species or stocks would not have an unmitigable adverse impact
on the availability of such species or stocks for taking for
subsistence purposes.
Adaptive Management
The regulations governing the take of marine mammals incidental to
SEFSC fisheries research survey operations contain an adaptive
management component which is both valuable and necessary within the
context of 5-year regulations for activities that have been associated
with marine mammal mortality. The use of adaptive management allows OPR
to consider new information from different sources to determine (with
input from the SEFSC regarding practicability) on an annual or biennial
basis if mitigation or monitoring measures should be modified
(including additions or deletions). The coordination and reporting
requirements in this rule are designed to provide OPR with data to
allow consideration of whether any changes to mitigation and monitoring
is necessary. OPR and the SEFSC will meet annually to discuss the
monitoring reports and current science and whether mitigation or
monitoring modifications are appropriate. Decisions will also be
informed by findings from any established working groups,
investigations into gear modifications and dolphin-gear interactions,
new stock data, and coordination efforts between all NMFS Fisheries
Science Centers. Mitigation measures could be modified if new data
suggest that such modifications would have a reasonable likelihood of
reducing adverse effects to marine mammals and if the measures are
practicable. In addition, any M/SI takes by the SEFSC and affiliates
are required to be submitted within 48 hours to the PSIT database and
OPR will be made aware of the take. If there is an immediate need to
revisit monitoring and mitigation measures based on any given take, OPR
and SEFSC would meet as needed.
The following are some of the possible sources of applicable data
to be considered through the adaptive management process: (1) Results
from monitoring reports, as required by MMPA authorization; (2) results
from general marine mammal and sound research; (3) any information
which reveals that marine mammals may have been taken in a manner,
extent, or number not authorized by these regulations or subsequent
LOAs; and (4) findings from any mitigation research (e.g., gear
modification). In addition, developments on the effectiveness of
mitigation measures as discovered through research (e.g., stiffness of
lazy lines) will inform adaptive management strategies. Finally, the
SEFSC-SCDNR working group is investigating the relationships between
SCDNR research surveys and marine mammal takes. Any report produced by
that working group will inform improvements to marine mammal monitoring
and mitigation.
National Environmental Policy Act
To comply with the National Environmental Policy Act of 1969 (NEPA;
42 U.S.C. 4321 et seq.) and NOAA Administrative Order (NAO) 216-6A,
NMFS must review our action (i.e., the issuance of an incidental
harassment authorization) with respect to potential impacts on the
human environment.
Accordingly, NMFS prepared a PEA to consider the environmental
impacts associated with the issuance of the regulations and LOA to
SEFSC. Subsequently, NMFS issued the Final PEA for Fisheries and
Ecosystem Research Conducted and Funded by the Southeast Fisheries
Science Center and signed a Finding of No Significant Impact (FONSI) on
March 23, 2020. The documents can be found at https://www.fisheries.noaa.gov/permit/incidental-take-authorizations-under-marine-mammal-protection-act.
Endangered Species Act (ESA)
On May 9, 2016, NMFS SERO issued a Biological Opinion on Continued
Authorization and Implementation of National Marine Fisheries Service's
Integrated Fisheries Independent Monitoring Activities in the Southeast
Region (Biological Opinion). The Biological Opinion found independent
fishery research is not likely to adversely affect the following ESA-
listed species: Blue whales, sei whales, sperm whales, fin whales,
humpback whales, North Atlantic right whales, gulf sturgeon and all
listed corals in the action area. NMFS amended this Biological Opinion
on June 4, 2018, updating marine mammal hearing group frequency ranges
based on the best available science, adding evaluation of the effects
of this proposed action on the Gulf of Mexico Bryde's whale, and
including NMFS' issuance of regulations and a LOA to SEFSC as part of
the proposed action. Similar to the previous finding, the amended
Biological Opinion concluded SEFSC independent fishery research is not
likely to adversely affect listed marine mammals or adversely modify
critical habitat.
Classification
Pursuant to the procedures established to implement Executive Order
12866, the Office of Management and Budget has determined that this
rule is not significant.
Pursuant to section 605(b) of the Regulatory Flexibility Act (RFA),
the Chief Counsel for Regulation of the Department of Commerce has
certified to the Chief Counsel for Advocacy of the Small Business
Administration that this rule, if adopted, would not have a significant
economic impact on a substantial number of small entities. The SEFSC is
the sole entitiy that would be subject to the requirements in these
regulations, and the SEFSC is not a small governmental jurisdiction,
small organization, or small business, as defined by the RFA. Because
of this certification, a regulatory flexibility analysis is not
required and none has been prepared.
The rule for the SEFSC does not contain a collection-of-information
requirement subject to the provisions of the Paperwork Reduction Act
(PRA) because the applicant is a Federal agency.
List of Subjects in 50 CFR Part 219
Endangered and threatened species, Fish, Marine mammals, Reporting
and recordkeeping requirements, Wildlife.
Dated: April 10, 2020.
Samuel D. Rauch III,
Deputy Assistant Administrator for Regulatory Programs, National Marine
Fisheries Service.
For reasons set forth in the preamble, 50 CFR part 219 is amended
as follows:
[[Page 27079]]
PART 219--REGULATIONS GOVERNING THE TAKING AND IMPORTING OF MARINE
MAMMALS
0
1. The authority citation for part 219 continues to read as follows:
Authority: 16 U.S.C. 1361 et seq.
0
2. Add subpart H to read as follows:
Subpart H--Taking Marine Mammals Incidental to Southeast Fisheries
Science Center Fisheries Research in the Atlantic Ocean, Gulf of
Mexico, and Caribbean Sea
Sec.
219.71 Specified activity and specified geographical region.
219.72 Effective dates.
219.73 Permissible methods of taking.
219.74 Prohibitions.
219.75 Mitigation requirements.
219.76 Requirements for monitoring and reporting.
219.77 Letters of Authorization.
219.78 Renewals and modifications of Letters of Authorization.
219.79-219.80 [Reserved]
Subpart H--Taking Marine Mammals Incidental to Southeast Fisheries
Science Center Fisheries Research in the Atlantic Ocean, Gulf of
Mexico, and Caribbean Sea
Sec. 219.71 Specified activity and specified geographical region.
(a) Regulations in this subpart apply only to the National Marine
Fisheries Service's (NMFS) Southeast Fisheries Science Center (SEFSC)
and those persons it authorizes or funds to conduct fishery-independent
research surveys on its behalf for the taking of marine mammals that
occurs in the area outlined in paragraph (b) of this section and that
occurs incidental to SEFSC and partner research survey program
operations. Hereafter, ``SEFSC'' refers to both the SEFSC and all
designated partners.
(b) The taking of marine mammals by the SEFSC and partners may be
authorized in a 5-year Letter of Authorization (LOA) only if it occurs
during fishery research surveys in the Atlantic Ocean, Gulf of Mexico,
and Caribbean Sea and their associated estuaries.
Sec. 219.72 Effective dates.
This subpart is effective from June 5, 2020, through June 5, 2025.
Sec. 219.73 Permissible methods of taking.
Under an LOA issued pursuant to Sec. Sec. 216.106 of this chapter
and 219.77, the Holder of the LOA (hereinafter ``SEFSC'') may
incidentally, but not intentionally, take marine mammals within the
areas described in Sec. 219.71 by Level A harassment, serious injury,
or mortality associated with fisheries research gear including trawls,
gillnets, and hook and line, and Level B harassment associated with use
of active acoustic systems provided the activity is in compliance with
all terms, conditions, and requirements of the regulations in this
subpart and the relevant LOA.
Sec. 219.74 Prohibitions.
Notwithstanding takings contemplated in Sec. 219.73 and authorized
by an LOA issued under Sec. Sec. 216.106 of this chapter and 219.77,
no person in connection with the activities described in Sec. 219.71
may:
(a) Violate, or fail to comply with, the terms, conditions, and
requirements of this subpart or a LOA issued under Sec. Sec. 216.106
of this chapter and 219.77;
(b) Take any marine mammal species or stock not specified in the
LOA;
(c) Take any marine mammal in any manner other than as specified in
the LOA; and
(d) Take a marine mammal specified in an LOA in numbers exceeding
those authorized.
Sec. 219.75 Mitigation requirements.
When conducting the activities identified in Sec. 219.71, the
mitigation measures contained in any LOA issued under Sec. Sec.
216.106 of this chapter and 219.77 must be implemented. These
mitigation measures must include but are not limited to:
(a) General conditions. (1) SEFSC must take all necessary measures
to coordinate and communicate in advance of each specific survey with
the National Oceanic and Atmospheric Administration's (NOAA) Office of
Marine and Aviation Operations (OMAO) or other relevant parties on non-
NOAA platforms to ensure that all mitigation measures and monitoring
requirements described herein, as well as the specific manner of
implementation and relevant event-contingent decision-making processes,
are clearly understood and agreed upon;
(2) SEFSC must coordinate and conduct briefings at the outset of
each survey and as necessary between ship's crew (Commanding Officer/
master or designee(s), as appropriate) and scientific party in order to
explain responsibilities, communication procedures, marine mammal
monitoring protocol, and operational procedures;
(3) SEFSC must coordinate, on an annual basis, with all partners to
ensure that marine mammal-related requirements, procedures, and
decision-making processes are understood and properly implemented.
(4) SEFSC must establish and maintain cooperating partner working
group(s) to identify circumstances of a take should it occur and any
action necessary to avoid future take.
(i) Working groups must be established if a partner takes more than
one marine mammal within 5 years to identify circumstances of marine
mammal take and necessary action to avoid future take. Each working
group must meet at least once annually.
(ii) Each working group must consist of at least one SEFSC
representative knowledgeable of the mitigation, monitoring and
reporting requirements contained within these regulations, one or more
research institution or SEFSC representative(s) (preferably
researcher(s) aboard vessel when take or risk of take occurred), one or
more staff from NMFS Southeast Regional Office Protected Resources
Division, and one or more staff from NMFS Office of Protected
Resources.
(5) When deploying any type of sampling gear at sea, SEFSC must at
all times monitor for any unusual circumstances that may arise at a
sampling site and use best professional judgment to avoid any potential
risks to marine mammals during use of all research equipment.
(6) SEFSC must implement handling and/or disentanglement protocols
that must be provided to survey personnel. During fishery surveys where
there is a potential for take, at least two persons aboard SEFSC ships
and one person aboard smaller vessels, including vessels operated by
partners where no SEFSC staff are present, must be trained in marine
mammal handling, release, and disentanglement procedures.
(7) For research surveys using gear that has the potential to hook
or entangle a marine mammal in open-ocean waters (as defined from the
coastline seaward), the SEFSC must implement move-on rule mitigation
protocol upon observation of any marine mammal other than dolphins and
porpoises attracted to the vessel (see specific gear types below for
marine mammal monitoring details). Specifically, if one or more marine
mammals (other than dolphins and porpoises) are observed near the
sampling area and are considered at risk of interacting with the vessel
or research gear, or appear to be approaching the vessel and are
considered at risk of interaction, SEFSC must either remain onsite or
move on to another sampling location. If remaining onsite, the set must
be delayed until the animal(s) depart or appear to no longer be at risk
of interacting with the vessel or gear. At such time, the SEFSC may
deploy gear. The SEFSC must use best professional judgment, in
accordance with this
[[Page 27080]]
paragraph, in making decisions related to deploying gear.
(8) Vessels Operation--While transiting in areas subjected to the
North Atlantic right whale ship strike rule, all SEFSC-affiliated
research vessels (NOAA vessels, NOAA chartered vessels, and research
partner vessels) must abide by the required speed restrictions and
sighting alert protocols. All NOAA research vessels operating in North
Atlantic right whale habitat participate in the Right Whale Early
Warning System.
(9) The SEFSC must avoid baiting the waters (i.e, chumming) during
all surveys.
(b) Trawl survey mitigation. In addition to the general conditions
provided in Sec. 219.75(a), the following measures must be implemented
during trawl surveys:
(1) SEFSC must conduct fishing operations as soon as practicable
upon arrival at the sampling station and, if practicable, prior to
other environmental sampling;
(2) The SEFSC must limit tow times to 30 minutes (except for sea
turtle research trawls);
(3) The SEFSC must, during haul back, open cod end close to deck/
sorting table to avoid damage to animals that may be caught in gear and
empty gear as quickly as possible after retrieval haul back;
(4) The SEFSC must delay gear deployment if any marine mammals are
believed to be at risk of interaction;
(5) The SEFSC must retrieve gear immediately if any marine mammals
are believed to be entangled or at risk of entanglement;
(6) Dedicated marine mammal observations must occur at least 15
minutes prior to the beginning of net deployment when trawling occurs
in waters less than 200 meters in depth. If trawling occurs in waters
deeper than 200 m, dedicated marine mammal observations must occur at
least 30 minutes prior to net deployment. This watch may include
approach to the sampling station within 0.5 nm. Marine mammal watches
should be conducted by systematically scanning the surrounding waters
and marsh edge (if visible) 360 degrees around the vessel. If
dolphin(s) are sighted and believed to be at-risk of interaction (e.g.,
moving in the direction of the vessel/gear; moms/calves close to the
gear; etc.), gear deployment should be delayed until the animal(s) are
no longer at risk or have left the area on their own. If species other
than dolphins are sighted, trawling must not be initiated and the
marine mammal(s) must be allowed to either leave or pass through the
area safely before trawling is initiated. All marine mammal sightings
must be logged and reported per Sec. 219.76 of this subpart.
(7) The SEFSC must retrieve gear immediately if marine mammals are
believed to be captured/entangled in a net or associated gear (e.g.,
lazy line) and follow disentanglement protocols;
(8) The SEFSC must minimize ``pocketing'' in areas of trawl nets
where dolphin depredation evidence is commonly observed;
(9) When conducting research under an ESA section 10(a)(1)(A)
scientific research permit issued by NMFS, all marine mammal mitigation
and monitoring protocol contained within that permit must be
implemented;
(10) SEFSC must implement standard survey protocols to minimize
potential for marine mammal interactions, including maximum tow
durations at target depth and maximum tow distance, and must carefully
empty the trawl as quickly as possible upon retrieval. Trawl nets must
be cleaned prior to deployment; and
(11) The SEFSC must continue investigation into gear modifications
(e.g., stiffening lazy lines) and the effectiveness of gear
modification at avoiding entanglement, as funding allows.
(c) Seine net and gillnet survey mitigation. In addition to the
general conditions provided in paragraph (a) of this section, the
following measures must be implemented during seine and gillnet
surveys:
(1) Conduct gillnet and trammel net research activities during
daylight hours only.
(2) Limit soak times to the least amount of time required to
conduct sampling;
(3) Conduct dedicated marine mammal observation monitoring
beginning 15 minutes prior to deploying the gear and continue through
deployment and haulback;
(4) Hand-check the net every 30 minutes if soak times are longer
than 30 minutes or immediately if disturbance is observed;
(5) Reduce net slack and excess floating and trailing lines;
(6) Repair damaged nets prior to deploying;
(7) Delay setting net if a marine mammal is deemed to be at-risk of
entanglement;
(8) Pull net immediately if a marine mammal is entangled and follow
disentanglement procedures; and
(9) If marine mammals are sighted in the sampling area during
active netting, the SEFSC must raise and lower the net leadline. If
marine mammals do not immediately depart the area and the animal
appears to be at-risk of entanglement (e.g., interacting with or on a
path towards the net), the SEFSC must delay or pull all gear
immediately.
(d) Hook and line (including longline) survey mitigation. In
addition to the General Conditions provided in paragraph (a) of this
section, the following measures must be implemented during hook and
line surveys:
(1) SEFSC must deploy hook and line gear as soon as is practicable
upon arrival at the sampling station.
(2) SEFSC must initiate marine mammal observations (visual
observation) no less than 30 minutes prior to gear deployment if
sampling is conducted in waters greater than 200 m. If sampling in
water less than 200 m, the SEFSC must initiate marine mammal
observations no less than 15 minutes prior to setting gear.
Observations must be conducted by scanning the surrounding waters with
the naked eye and range-finding binoculars (or monocular) when
longlines exceed observation distances using the naked eye. During
nighttime operations, visual observation must be conducted using
available vessel lighting.
(3) SEFSC must implement the move-on rule mitigation protocol, as
described in paragraph (a)(7) of this section.
(4) SEFSC must maintain visual monitoring effort, where
practicable, during the entire period of gear deployment and retrieval.
If marine mammals are sighted before the gear is fully deployed or
retrieved, SEFSC must take the most appropriate action to avoid marine
mammal interaction. SEFSC may use best professional judgment in making
this decision.
(5) If gear deployment or fishing has been suspended because of the
presence of marine mammals, SEFSC may resume such operations when
practicable only when the animals are believed to have departed the
area in accordance with the move-on rule as described in paragraph
(a)(7) of this section. If longline operations have been delayed
because of the presence of protected species, the vessel resumes
longline operations only when these species have not been sighted
within 15 minutes if in less than 200 m or 30 minutes if greater than
200 m of water, or otherwise determined to no longer be at risk. SEFSC
may use best professional judgment in making this decision.
(6) SEFSC must implement standard survey protocols, including
maximum soak durations and limiting longline length to that necessary.
(7) For pelagic, surface longlines, gangion length must allow
hooked
[[Page 27081]]
animals to reach the surface. SEFSC must immediately reel in lines if
marine mammals are deemed to be at risk of interacting with gear.
(8) SEFSC must follow existing Dolphin Friendly Fishing Tips
available at http://sero.nmfs.noaa.gov/protected_resources/outreach_and_education/documents/dolphin_friendly_fishing_tips.pdf.
(9) SEFSC must not discard leftover bait overboard while actively
fishing.
(10) SEFSC must inspect tackles daily to avoid unwanted line
breaks.
(11) Pull gear immediately if a marine mammal is hooked and follow
disentanglement procedures.
(12) Avoid using stainless steel hooks.
(13) For pelagic longline surveys in the Atlantic Ocean, follow the
Pelagic Longline Take Reduction Plan and Longline Marine Mammal
Handling and Release Guidelines.
(d) Electrofishing. (1) SEFSC must implement marine mammal
monitoring 15 minutes prior to the onset of electrofishing (this can
include approach to the survey site). If the vessel moves to another
survey site, the 15 minutes observation period must be repeated.
(2) SEFSC must implement a 50-m safety zone. If a marine mammal is
observed within 50 m of the vessel or on a path toward the vessel,
electrofishing must be delayed. Electrofishing must not begin until the
animal is outside of the 50 m safety zone or on a consistent path away
from the vessel.
(3) All samples collected during electrofishing must remain on the
vessel and not be discarded until all electrofishing is completed to
avoid attracting protected species.
Sec. 219.76 Requirements for monitoring and reporting.
(a) Compliance coordination. SEFSC must designate a compliance
coordinator who is responsible for ensuring and documenting compliance
with all requirements of any LOA issued pursuant to Sec. Sec. 216.106
of this chapter and 219.77 and for preparing for any subsequent
request(s) for incidental take authorization. All partners must report
to this SEFSC-based compliance coordinator.
(b) Visual monitoring program. (1) Marine mammal visual monitoring
must occur prior to deployment of trawl, net, and hook and line gear,
respectively; throughout deployment of gear and active fishing of
research gears (not including longline soak time); prior to retrieval
of longline gear; and throughout retrieval of all research gear.
(2) When vessels are transiting, the SEFSC must maintain marine
mammal observations to avoid ship strike.
(c) Training. (1) SEFSC must conduct annual training for all SEFSC
and affiliate chief scientists and other personnel who may be
responsible for conducting dedicated marine mammal visual observations
to explain mitigation measures, by gear and the purpose for each
measure, and monitoring and reporting requirements in the LOA,
mitigation and monitoring protocols, and marine mammal identification
and species that the SEFSC is authorized to incidentally take. SEFSC
may determine the agenda for these trainings.
(2) The training must provide detailed descriptions of reporting,
data collection, and sampling protocols. This portion of the training
will include instruction on how to complete new data collection forms
such as the marine mammal watch log, the incidental take form (e.g.,
specific gear configuration and details relevant to an interaction with
protected species), and forms used for species identification and
biological sampling. The biological data collection and sampling
training module will include the same sampling and necropsy training
that is used for the Southeast Regional Observer training.
(3) SEFSC must also dedicate a portion of training to discussion of
best professional judgment, including use in any incidents of marine
mammal interaction and instructive examples where use of best
professional judgment was determined to be successful or unsuccessful.
(4) SEFSC must coordinate with NMFS' Office of Science and
Technology to ensure training and guidance related to handling
procedures and data collection is consistent with other fishery science
centers.
(d) Handling procedures and data collection. (1) SEFSC must
implement standardized marine mammal handling, disentanglement, and
data collection procedures. These standard procedures will be subject
to approval by NMFS' Office of Protected Resources (OPR).
(2) For any marine mammal interaction involving the release of a
live animal, SEFSC must collect necessary data to facilitate a serious
injury determination.
(3) SEFSC must provide its relevant personnel with standard
guidance and training regarding handling of marine mammals, including
how to identify different species, bring an individual aboard a vessel,
assess the level of consciousness, remove fishing gear, return an
individual to water, and log activities pertaining to the interaction.
(4) At least two persons aboard SEFSC ships and one person aboard
smaller vessels, including vessels operated by partners where no SEFSC
staff are present, must be trained in marine mammal handling, release,
and disentanglement procedures.
(5) SEFSC must record such data on standardized forms, which will
be subject to approval by OPR. SEFSC must also answer a standard series
of supplemental questions regarding the details of any marine mammal
interaction.
(6) For any marine mammals that are killed during fisheries
research activities, when practicable, scientists will collect data and
samples pursuant to Appendix D of the SEFSC DEA, ``Protected Species
Handling Procedures for SEFSC Fisheries Research Vessels.
(e) Reporting. (1) The SEFSC must follow protocol for reporting
incidental takes:
(i) The SEFSC must notify the Southeast Marine Mammal Stranding
Network (877-433-8299) immediately following the incidental take of a
marine mammal. For injured/uninjured marine mammals, priority should be
to release the animal before notifying the Stranding Network.
(ii) The SEFSC must report all marine mammal gear interaction to
NMFS's Protected Species Incidental Take (PSIT) database within 48
hours of occurrence and must provide supplemental information to OPR
and SERO upon request. Information related to marine mammal interaction
(animal captured or entangled in research gear) must include details of
research survey, monitoring conducted prior to interaction, full
descriptions of any observations of the animals, the context (vessel
and conditions), decisions made, and rationale for decisions made in
vessel and gear handling.
(2) The SEFSC must submit a draft annual report to NMFS OPR. The
period of reporting must be annual, beginning one year post-issuance of
any LOA and the report must be submitted not less than ninety days
following the end of a given year.
(i) SEFSC must provide a final report within thirty days following
resolution of comments on the draft report.
(ii) These reports must contain, at minimum, the following:
(A) Annual line-kilometers and locations surveyed during which the
EK60, ME70, and EQ50 (or equivalent sources) operating below 200 kHz
were predominant and associated pro-rated estimates of actual take;
(B) Summary information regarding use of all trawl, gillnet, and
hook and line gear, including location, number of
[[Page 27082]]
sets, hook hours, tows, etc., specific to each gear;
(C) Accounts of surveys where marine mammals were observed during
sampling but no interactions occurred;
(D) All incidents of marine mammal interactions, including
circumstances of the event and descriptions of any mitigation
procedures implemented or not implemented and why and, if released
alive, serious injury determinations;
(E) Summary information related to any disturbance of marine
mammals and distance of closest approach;
(F) A written evaluation of the effectiveness of SEFSC mitigation
strategies in reducing the number of marine mammal interactions with
survey gear, including gear modifications and best professional
judgment and suggestions for changes to the mitigation strategies, if
any;
(G) A summary of all relevant training provided by SEFSC and any
coordination with NMFS Office of Science and Technology and the SERO;
(H) A summary of meeting(s) and workshop(s) outcomes with any
partner working group, including, the South Carolina Department of
Natural Resources, designed to reduce the number of marine mammal
interactions; and
(I) A written description of any mitigation research investigation
efforts and findings (e.g., lazy line modifications).
(f) Reporting of injured or dead marine mammals. (1) In the
unanticipated event that the activity defined in Sec. 219.71(a)
clearly causes the take of a marine mammal in a prohibited manner,
SEFSC personnel engaged in the research activity must immediately cease
such activity until such time as an appropriate decision regarding
activity continuation can be made by the SEFSC Director (or designee).
The incident must be reported immediately to OPR and SERO. OPR and SERO
will review the circumstances of the prohibited take and work with
SEFSC to determine what measures are necessary to minimize the
likelihood of further prohibited take. The immediate decision made by
SEFSC regarding continuation of the specified activity is subject to
OPR concurrence. The report must include the information included in
paragraph (f)(2) of this section.
(2) SEFSC or partner must report all injured or dead marine mammals
observed during fishery research surveys that are not attributed to the
specified activity to the Southeast Regional Stranding Coordinator
within 24 hours. If the discovery is made by a partner, the report must
also be submitted to the SEFSC Environmental Compliance Coordinator.
The following information must be provided:
(i) Time, date, and location (latitude/longitude) of the incident;
(ii) Description of the incident including, but not limited to,
monitoring prior to and occurring at time of incident;
(iii) Environmental conditions (e.g., wind speed and direction,
Beaufort sea state, cloud cover, visibility);
(iv) Description of all marine mammal observations in the 24 hours
preceding the incident;
(v) Species identification or description of the animal(s)
involved;
(vi) Status of all sound source or gear used in the 24 hours
preceding the incident;
(vii) Water depth;
(viii) Fate of the animal(s) (e.g. dead, injured but alive, injured
and moving, blood or tissue observed in the water, status unknown,
disappeared, etc.); and
(ix) Photographs or video footage of the animal(s).
(3) In the event of a ship strike of a marine mammal by any SEFSC
or partner vessel involved in the activities covered by the
authorization, SEFSC or partner must immediately report the information
in paragraph (f)(2) of this section, as well as the following
additional information:
(i) Vessel's speed during and leading up to the incident;
(ii) Vessel's course/heading and what operations were being
conducted;
(iii) Status of all sound sources in use;
(iv) Description of avoidance measures/requirements that were in
place at the time of the strike and what additional measures were
taken, if any, to avoid strike;
(v) Estimated size and length of animal that was struck; and
(vi) Description of the behavior of the marine mammal immediately
preceding and following the strike.
Sec. 219.77 Letters of Authorization.
(a) To incidentally take marine mammals pursuant to these
regulations, SEFSC must apply for and obtain an LOA.
(b) An LOA, unless suspended or revoked, may be effective for a
period of time not to exceed the expiration date of these regulations.
(c) In the event of projected changes to the activity or to
mitigation and monitoring measures required by an LOA, SEFSC must apply
for and obtain a modification of the LOA as described in Sec. 219.78.
(d) The LOA must set forth:
(1) Permissible methods of incidental taking;
(2) Means of effecting the least practicable adverse impact (i.e.,
mitigation) on the species, its habitat, and on the availability of the
species for subsistence uses; and
(3) Requirements for monitoring and reporting.
(e) Issuance of the LOA must be based on a determination that the
level of taking will be consistent with the findings made for the total
taking allowable under these regulations.
(f) Notice of issuance or denial of an LOA must be published in the
Federal Register within 30 days of a determination.
Sec. 219.78 Renewals and modifications of Letters of Authorization.
(a) An LOA issued under Sec. Sec. 216.106 of this chapter and
219.77 for the activity identified in Sec. 219.71(a) must be renewed
or modified upon request by the applicant, provided that:
(1) The specified activity and mitigation, monitoring, and
reporting measures, as well as the anticipated impacts, are the same as
those described and analyzed for these regulations (excluding changes
made pursuant to the adaptive management provision in paragraph (c)(1)
of this section), and
(2) OPR determines that the mitigation, monitoring, and reporting
measures required by the previous LOA under these regulations were
implemented.
(b) For an LOA modification or renewal requests by the applicant
that include changes to the activity or the mitigation, monitoring, or
reporting (excluding changes made pursuant to the adaptive management
provision in paragraph (c)(1) of this section) that do not change the
findings made for the regulations or result in no more than a minor
change in the total estimated number of takes (or distribution by
species or years), OPR may publish a notice of proposed LOA in the
Federal Register, including the associated analysis of the change, and
solicit public comment before issuing the LOA.
(c) An LOA issued under Sec. Sec. 216.106 of this chapter and
219.77 for the activity identified in Sec. 219.71(a) may be modified
by OPR under the following circumstances:
(1) Adaptive management. OPR may modify or augment the existing
mitigation, monitoring, or reporting measures (after consulting with
SEFSC regarding the practicability of the modifications) if doing so
creates a reasonable likelihood of more effectively accomplishing the
goals of the mitigation and monitoring set forth in the preamble for
these regulations.
[[Page 27083]]
(i) If, through adaptive management, the modifications to the
mitigation, monitoring, or reporting measures are substantial, OPR will
publish notification of proposed LOA in the Federal Register and
solicit public comment.
(ii) [Reserved]
(2) Emergencies. If OPR determines that an emergency exists that
poses a significant risk to the well-being of the species or stocks of
marine mammals specified in LOAs issued pursuant to Sec. Sec. 216.106
of this chapter and 219.77, an LOA may be modified without prior notice
or opportunity for public comment. Notification would be published in
the Federal Register within 30 days of the action.
Sec. Sec. 219.79-219.80 [Reserved]
[FR Doc. 2020-07933 Filed 5-5-20; 8:45 am]
BILLING CODE 3510-22-P