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Dry Tortugas National Park--Special Regulations

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 [Federal Register: December 20, 2006 (Volume 71, Number 244)]
[Rules and Regulations]
[Page 76154-76166]
From the Federal Register Online via GPO Access [wais.access.gpo.gov]
[DOCID:fr20de06-11]

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DEPARTMENT OF THE INTERIOR
National Park Service
36 CFR Part 7
RIN 1024-AD45

Dry Tortugas National Park--Special Regulations

AGENCY: National Park Service, Interior.
ACTION: Final rule.

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SUMMARY: This rule will delete obsolete regulations; limit the area,
extent and methods of recreational fishing within portions of the
park's boundaries; implement a Research Natural Area (RNA); clarify the
Superintendent's authority to regulate fishing, boating, and permitted
activities; regulate vessel operation, anchoring and human activity;
provide enhanced protection for shipwrecks consistent with State and
Federal law; and restrict discharges into park waters. Definitions have
also been added to clarify terminology.

DATES: Effective Dates: This rule is effective January 19, 2007.

FOR FURTHER INFORMATION CONTACT: Superintendent, Everglades and Dry
Tortugas National Parks, 40001 SR 9336, Homestead, FL 33034. E-mail: 
ever_superintendent@nps.gov (305) 242-7710.

SUPPLEMENTARY INFORMATION:

Background

    On April 7, 2006, the NPS published in the Federal Register
proposed special regulations for Dry Tortugas National Park. (71 FR
17785). Previous regulations pertained to Fort Jefferson National
Monument. The Monument was established by a presidential proclamation
in 1935 for the purpose of preserving the Dry Tortugas group of islands
within the original 1845 federal military reservation of islands, keys,
and banks. In 1980, Congress legislatively affirmed the Fort Jefferson
National Monument.
    In 1992, Congress enacted Public Law 102-525 (16 U.S.C. 410xx et
seq.) abolishing the Fort Jefferson National Monument and establishing
Dry Tortugas National Park in its place. Congress established the park
``to preserve and protect for the education, inspiration and enjoyment
of present and future generations nationally significant natural,
historic, scenic, marine, and scientific values in South Florida.'' In
addition, Congress directed the Secretary of the Interior to manage the
park for the following specific purposes, including:
    (1) To protect and interpret a pristine subtropical marine
ecosystem, including an intact coral reef community.
    (2) To protect populations of fish and wildlife, including (but not
limited to) loggerhead and green sea turtles, sooty terns, frigate
birds, and numerous migratory bird species.
    (3) To protect the pristine natural environment of the Dry Tortugas
group of islands.
    (4) To protect, stabilize, restore and interpret Fort Jefferson, an
outstanding example of nineteenth century masonry fortification.
    (5) To preserve and protect submerged cultural resources.
    (6) In a manner consistent with paragraphs (1) through (5) above to
provide opportunities for scientific research. (16 U.S.C. 410xx-1(b)).
    The NPS developed the Final General Management Plan Amendment/
Environmental Impact Statement (FGMPA/EIS), approved through a Record
of Decision (ROD) in July 2001, to comply with its statutory mandate to
manage and protect Dry Tortugas National Park, and to respond to
pressures from increased visitation and over-utilization of park resources.
    As described in the FGMPA/EIS, there were indications that, despite
the park's remote location approximately 70 miles west of Key West,
Florida, rapidly increasing visitor use was negatively impacting the
resources and values that make Dry Tortugas National Park unique.
Visitation to Dry Tortugas National Park increased 400 percent from
1994 through 2000, going from 23,000 to 95,000 annual visitors. The
resources and infrastructure at the park could not sustain a growth
rate of this magnitude while ensuring protection of park resources
consistent with the park's legislative mandate.
    Scientific studies documented significant declines in the size and
abundance of commercially and recreationally important fish species,
particularly snapper, grouper, and grunts in Dry Tortugas National
Park. These declines threaten the sustainability of reef fish
communities both within the park and throughout the Florida Keys.
Studies demonstrate that both fish size and abundance in the Tortugas
area, including Dry Tortugas National Park, are essential to spawning
and recruitment for regional fish stocks and the multi-billion dollar
fishing and tourism industry in the Florida Keys.
    The population of South Florida is projected to increase from its
current level of 6.3 million people to more than 12 million by 2050.
With continued technological innovations such as global positioning
systems and larger, faster vessels, the increase in population and
recreational tourism will result in more pressure on the resources in
the Tortugas area. In recent years, interest has grown in the
commercial sector to provide increased transportation to the park and
to conduct additional activities in the park, which would bring many
more visitors and greater impacts to park resources.
    A plan was started in 1998 to address pressures and update the 1983
Fort Jefferson National Monument General Management Plan. At that time,
park managers placed a moratorium on the authorization of any new
commercial activity in the park until an FGMPA/EIS could be completed
and implemented that would adequately protect park resources.
    The FGMPA/EIS addressed specific issues including: (1) Protection
of near-pristine resources such as coral reefs and sea grasses; (2)
protection of fisheries and submerged cultural resources; (3)
management of commercial services; and (4) determination of appropriate
levels and types of visitor use.
    After extensive public involvement and collaboration with state and
federal agencies, the NPS selected a management alternative that
affords a high level of protection to park resources as well as
providing for appropriate types and levels of high quality visitor
experiences. This will be accomplished by establishing management zones
and visitor carrying capacity limits for specific locations in the
park, using commercial services to direct and structure visitor use,
and instituting a permit system for private as well as commercial
boats. A research natural area (RNA) will encompass a 46 square-mile
area protecting a representative range of terrestrial and marine
resources that will ensure protection of spawning fish and fish
diversity and protect near-pristine habitats and processes to ensure
high quality research opportunities. This rule prohibits extractive
activities in the RNA, including fishing. A range of recreational and
educational opportunities will be available for visitors as long as
appropriate resource conditions are maintained. The quality of visitor
experiences will be enhanced by maintaining the quality of resources
while expanding visitor access throughout the park.

Summary of Public and Agency Involvement for the Final General
Management Plan Amendment and the Proposed Rule

    This rule is the culmination of an extensive general management planning

[[Page 76155]]

process for Dry Tortugas National Park that began in 1998. NPS planning
was undertaken concurrently and collaboratively with planning by the
National Oceanic and Atmospheric Administration (NOAA), the Florida
Fish and Wildlife Conservation Commission (FWC), and the Gulf of Mexico
Fisheries Management Council (GMFMC), leading to establishment of the
Tortugas Ecological Reserve (TER) in the Florida Keys National Marine
Sanctuary (FKNMS) adjoining the park.
    To assist in developing alternatives for the TER, NOAA established
a 25-member Working Group composed of commercial and recreational
fishermen, divers, scientists, non-governmental organizations and other
concerned citizens, stakeholder representatives, FKNMS Advisory Council
members, and federal and state government representatives charged with
resource management authority in the Tortugas area. The Working Group
used an ``ecosystem approach,'' recommending alternatives based on
natural resources rather than jurisdictional boundaries. The NPS and
FWC participated in the Working Group that gathered ecological and
socio-economic information through two public meetings, a site
characterization document, and the firsthand experiences of commercial
and recreational fishermen and others.
    To maximize public participation in the park and the sanctuary
planning, the NPS and FKNMS held 5 joint scoping meetings in the fall
of 1998. To gain additional information, in 1999, the NPS and NOAA
asked the National Research Council of the National Academy of Sciences
to examine the utility of marine reserves and protected areas for
conserving fisheries, habitats, and biological diversity. The Council's
report, Marine Protected Areas: Tools for Sustaining Ocean Ecosystems,
endorsed the increased use of ``no-take'' reserves, in concert with
conventional management approaches, as a tool for managing ocean
resources. In May 1999, the Working Group reached consensus on proposed
boundaries for the TER and a proposed no-fishing zone inside Dry
Tortugas National Park. All public and agency comments were considered
by the NPS and incorporated into the issues and alternatives evaluated
in the draft GMPA and EIS.
    In June 2000, the NPS and FKNMS released their draft management
plans for public review and held 6 joint public hearings with the FWC
and the GMFMC. Comments on the draft GMPA were overwhelmingly
supportive of establishing the RNA. Out of 6,104 comments received, 97%
supported the prohibition of extractive activities in this area. All
public and agency comments were carefully considered by the NPS and the
proposed action was modified in several areas in response to the comments.
    In January 2001, the Dry Tortugas National Park FGMPA was made
available to the public. The NPS received several hundred letters from
citizens and organizations reflecting a variety of viewpoints about the
FGMPA. The NPS carefully considered all comments including those for
and against prohibiting recreational fishing in the proposed RNA. On
July 27, 2001, the Secretary of the Interior approved the FGMPA, and
the Record of Decision was signed. In announcing approval of the plan,
the Secretary stated, ``This plan has been developed with broad public
outreach and a great deal of participation with the State of Florida,
fishing organizations and interest groups. * * * My goal for this plan
in the future is that recreational and commercial fishermen will see
more and bigger fish, more conch and lobster in Florida Bay and the
Straits of Florida, as a result of the critical spawning and marine
nurseries we are protecting in the park.'' Additional details on public
involvement for the FGMPA are included in the ROD which may be viewed
or downloaded from the park's Web site at 
http://www.nps.gov/drto/parkmgmt/index.htm.
    During the preparation of the FGMPA, the State of Florida indicated
to the NPS and DOI that it claimed title to submerged lands located
within Dry Tortugas National Park. These lands are also claimed by the
United States. Rulemaking to implement the FGMPA was delayed pending
resolution of this issue. Rather than addressing this issue through
potentially protracted litigation, the State and DOI entered into a
``Management Agreement for Certain Submerged Lands in Monroe County,
Florida, Located within Dry Tortugas National Park'' that was approved
by the Florida Governor and Cabinet on August 9, 2005 and by the
Secretary of the Interior on December 20, 2005. This rule is consistent
with the requirements of that agreement which stipulates that the NPS
shall submit proposed regulations to the FWC for review and obtain the
concurrence of the Board of Trustees of the Internal Improvement Trust
Fund of the State of Florida (Governor and Cabinet) regarding that
portion of the regulations pertaining to the management of submerged
lands within the park. The Governor and Cabinet received comments from
a variety of recreational fishing organizations, conservation groups,
elected officials, state and federal agencies, and interested parties
prior to approving the agreement. The August 9th meeting was publicly
noticed and received statewide media coverage. The management agreement
may be viewed or downloaded from the park's Web site at 
http://www.nps.gov/drto/parkmgmt/index.htm. A Florida Department of
Environmental Protection (FDEP) statement on the approval of the
management agreement is available on its Web site at 
http://www.dep.state.fl.us/secretary/news/2005/08/0809_01.htm.
    The FWC reviewed the proposed regulations at public meetings in Key
Largo, Florida on December 1, 2005 and in Gainesville, Florida on
February 2, 2006. The FWC received comments from a variety of
recreational fishing organizations, conservation groups, elected
officials, State and Federal agencies, and interested parties at these
meetings. The FWC approved the proposed regulations at its February 2,
2006 meeting and described the rationale for this action on its Web
site at http://myfwc.com/whatsnew/06/statewide/tortugas.html.
Exit Disclaimer
    The FWC meetings were announced in advance and received statewide
media coverage.
    On April 5, 2006, the DOI announced publication of the NPS draft
special regulations in the Federal Register and the initiation of a 60-
day public comment period. The press release and the April 7, 2006
Federal Register notice invited public comments by mail, e-mail, fax,
or in person at a May 17, 2006, public meeting in Key Largo, Florida.
On May 11, 2006, the NPS issued a press release seeking comments at the
May 17, 2006, meeting. The release was also distributed by electronic
mail to more than 500 individuals and organizations on the park's
mailing list. Articles announcing the meeting date, location, and how
to submit comments were published in the Miami Herald and Florida Keys
Keynoter. Forty-three (43) people attended the meeting. The NPS
received 5,238 responses, including letters, e-mails, and verbal
comments during the comment period that closed on June 6, 2006. Ninety-
nine percent of the respondents supported NPS implementation of the
proposed RNA.
    The FWC reviewed and approved this final rule, and the NPS obtained
the concurrence of the Governor and Cabinet at their November 14, 2006
meeting. This concurrence is for an initial five year period at which
time their approval of the rule is again required. The Governor and
Cabinet received public comments prior to taking their action. The
management

[[Page 76156]]

agreement also provides that the NPS and the State will work together
to implement a research and monitoring program for the park's marine
ecosystem, to coordinate this work with similar efforts by the FKNMS,
and to provide a status report on the fisheries and activities at least
every five years to the Board of Trustees. To further this effort, NPS
and the FWC will shortly enter into a joint agreement for cooperative
research within the Park and the RNA and to establish measures for
evaluating the effectiveness and performance of the RNA.
    The regulations will be reviewed at least every five years, and as
appropriate, revised and reissued based upon the results of the
research program and information contained in the status report.
Information and data collected regarding the effectiveness and
performance of the RNA will also be reviewed and evaluated, and
adjustments to the RNA will be undertaken, as appropriate. Any future
revisions to these regulations will include opportunities for public
review and comment during the rulemaking process.

Summary of Comments--Introduction

    The proposed rule was published for public comment on April 7,
2006, with the comment period lasting until June 6, 2006. The NPS
received 5,238 comments regarding the proposed rule, including letters,
e-mails, and verbal comments given at a May 17, 2006 public meeting in
Key Largo, Florida. Of the total, 63 are original comments and 5175
were form letters supporting implementation of the regulations and the
RNA. These comments have been analyzed using a process called ``content
analysis.'' Content analysis is a systematic process of compiling and
categorizing public viewpoints and concerns. A goal of the process is
to identify all relevant issues, not just those represented by the
majority of respondents.
    The NPS has carefully considered all comments received and in some
cases adopted suggestions made. The comments and reasons for accepting
or rejecting them are included below.

General Overview of Public Comments

Research Natural Area (RNA)

    ? Ninety-nine percent of all commenters supported NPS
implementation of a RNA zone. Reasons cited were:

--To protect nationally significant corals and benthic habitats
--To protect habitats for endangered sea turtles, birds and other species
--To replenish depleted fish stocks and protect biological diversity
--To achieve park purpose to protect a pristine, intact marine ecosystem
--To allow comparative studies in a non-manipulated marine ecosystem
--Population pressure and threats to the ecosystem are increasing
--The science used in RNA decision making was sound
--The RNA will help support fishing/tourism economy of the Florida Keys
--Public involvement for the FGMPA and proposed regulations was
inclusive, collaborative and adequate

    ? One percent of respondents opposed NPS implementation of
the RNA. Reasons cited were:

--The science used in RNA decision-making was inadequate
--The resources in the Tortugas area (corals and fish stocks) are in
good condition
--Commercial fishing in the Tortugas area causes far more damage to
fish stocks than recreational fishing
--Commercial fishing in the Tortugas area should be banned if NPS wants
to improve fish stocks
--Existing regulations, size and bag limits will adequately protect
fish stocks
--The RNA will increase fishing pressure on areas remaining open to fishing
--The RNA will unnecessarily restrict public access and fishing
opportunities in the park
--Public involvement for the proposed regulations was inadequate

Response to Specific Comments

    Comment #1: The NPS does not have the authority and jurisdiction to
issue regulations for Dry Tortugas National Park marine resources
because the United States does not have jurisdiction of the submerged
lands and waters beyond Duck Key.
    NPS Response: The NPS disagrees. Congress established the present
boundary of Dry Tortugas National Park in 1992 (Pub. L. 102-525). The
NPS Organic Act (16 U.S.C. 1) authorizes the ``NPS to promote and
regulate the use of the Federal area know as national parks * * * which
purpose is to preserve the scenery and the natural and historic objects
and the wildlife therein * * * and to leave unimpaired for the
enjoyment of future generations.'' Further, 16 U.S.C. 3 authorizes the
Secretary of the Interior to make and publish rules and regulations
deemed necessary or proper for the use and management of the parks; and
16 U.S.C. 1a-2(h) specifically authorizes the Secretary to promulgate
and enforce regulations concerning boating and other activities on or
relating to waters within park boundaries. With respect to submerged
lands, in August 2005, the U.S. Department of the Interior and the
State of Florida entered into a management agreement acknowledging each
other's claim to ownership of certain submerged lands within the park.
The State and the DOI mutually agreed that the submerged lands will be
managed by the NPS consistent with the authorized purpose of the park
in the 2001 GMPA. Finally, NPS regulations expressly apply to waters
within park boundaries subject to the jurisdiction of the United States
without regard to the ownership of submerged lands.
    Comment #2: The NPS should eliminate the rule that states that all
fishing gear must be stowed and unavailable when traveling within the
RNA zone. This is an impractical rule for most open fishing boats.
    NPS Response: The regulation assures consistency with the
immediately adjacent FKNMS Tortugas Ecological Reserve and maintains
the integrity of the purpose of the RNA. The NPS agrees that for
smaller boats with limited space that the removal of hooks and lures is
impractical. The NPS therefore adopts verbatim the FKNMS's definition
of ``not available for immediate use.'' The definition allows for the
stowage of unbaited fishing rods in rod holders.
    Comment #3: The science used in the RNA decision-making is
inadequate because the methodology, assumptions, and data are flawed
and the scientists who did the studies are biased and inexperienced in
fishing and fish habits.
    NPS Response: The NPS disagrees with these views. The original
scientific studies that support the habitat protection and fisheries
management recommendations for the Tortugas region are described in a
detailed 1999 report entitled Site Characterization for the Dry
Tortugas Region that was jointly commissioned by the NPS and the FKNMS.
This report included extensive information on oceanography/water
currents, coral reefs/benthic communities, as well as the fisheries
essential habitats of the Tortugas region (Schmidt et al. 1999). (An
extensive discussion was also included in the NPS 2001 ROD.) The
specific studies of Tortugas reef fish communities and their associated
benthic habitats were initially compiled in 1999 and 2000 by an inter-
disciplinary team of scientists from the National Undersea Research
Center (UNC), the University of Miami's Rosenstiel School of Marine and
Atmospheric Sciences, the National Marine Fisheries Service (NMFS), and
the Florida Wildlife Research Institute

[[Page 76157]]

(FWRI). This team of Federal, State, and university scientists have
extensive experience in marine ecology/oceanography, fisheries
management, and coral reef ecosystems based on their work throughout
Florida and the Caribbean, and their site-specific studies over the
last 2-3 decades in the Florida Keys and Tortugas region. The
methodology and results of these scientific studies have been published
in numerous scientific journals and have undergone independent
scientific peer review.
    The fish survey methodology (underwater direct visual fish counts)
that has been used is designed specifically for assessing coral reef
fish stocks (Bohnsack and Bannerot 1986). The Dry Tortugas National
Park field sampling plan was devised specifically for the park (Ault et
al. 2003). This methodology has undergone extensive design analysis and
has been shown to be highly effective and is used around the world. The
data analyses and fish stock assessments use standard statistical
methods and well-accepted scientific methodologies. All of these
methodologies have undergone multiple independent expert scientific
reviews through publications in scientific journals. The NPS intends to
continue its collaboration with NOAA, FWC, and the other federal and
state agencies working in the FKNMS, and to specifically have the Dry
Tortugas science program included in the planned independent scientific
peer review efforts of the FKNMS Science Program.
    The lead scientists who designed and conducted the Dry Tortugas
National Park coral reef fishery assessment studies are PhD-level
senior marine scientists from the University of Miami and the NMFS.
They worked with a broad team of scientists from the FWC, the FKNMS,
and many other agencies and universities. This team of scientists has
many years of experience in coral reef ecology and fishery biology and
have worked on fisheries projects throughout the Florida Keys and
Tortugas region. The methodology and results have been presented in
numerous peer reviewed scientific publications on south Florida coral
reef ecology and fishery biology. Most of these scientists also live in
the south Florida area and have been engaged in recreational fishing in
the Florida Keys for decades. The two lead NPS marine scientists
working on the Dry Tortugas National Park science programs also have
advanced degrees in marine science and extensive work experience (i.e.,
M.S. in fishery biology, and PhD in coral reef fish ecology along with
25-30 years experience working in Florida and Caribbean marine ecosystems).
    Comment #4: The science used in RNA decision-making is inadequate
because the NPS does not conduct fish counts at Dry Tortugas National Park.
    NPS Response: The NPS does conduct fish counts at Dry Tortugas
National Park, using a combination of fishery dependent surveys (angler
interviews) and fishery independent surveys (direct visual fish
counts). The NPS periodically interviews anglers at the dock on Garden
Key, recording catch information (called creel or fishery [angler]
dependent surveys). As part of these creel surveys, the NPS asks where
anglers caught their fish, the number of people involved, and the
duration of their fishing activities. This information allows NPS to
estimate the fishing catch per unit effort (CPUE) for a series of
spatially distributed fishing zones across the park. The Dry Tortugas
creel survey data collected between 1980-1984 and 2000-2004 were
analyzed and compared by Ault et al. (2006) to determine any trends
over time. This analysis found that gray snapper and grunt catch per
unit effort (CPUE) declined between the two periods, suggesting that
these species may have experienced long term decline in abundance in
the park. The NPS acknowledges that the Dry Tortugas National Park
creel survey is not as extensive as that in Everglades National Park
because of the logistical problems of collecting such data in the
Tortugas region. The NPS is addressing these limitations by designing a
more effective Dry Tortugas National Park creel survey and recreational
fishing guide reporting system. The NPS also has had extensive park-
wide underwater visual direct counts of the important game fish species
and other coral reef fishes done regularly since 1999 (including the
years 1999, 2000, 2002, 2004, and 2006). This method has been analyzed
by marine fisheries experts and was determined to be a more effective
method of defining reef fish abundance than a creel survey. The results
of these counts and other fish data are used by fisheries managers to
calculate indicies to gauge the health of a fishery. One index is a
spawning potential ratio (SPR) for each harvested species. The SPR is a
fishery index, developed by NMFS, and is used to estimate the overall
reproductive health of fish species and to estimate the impacts of
overfishing. A historical study of the SPR of 35 commercially and
recreationally important fish species found in the Tortugas region
indicates that 13 of 16 grouper species, 7 of 13 snapper species, one
wrasse, and 2 of 5 grunt species were found to be below the 30 percent
SPR threshold, and are considered overfished by federal standards (Ault
et al. 1998). The overall health of the Tortugas fishery as well as the
health of its associated coral reefs and other benthic communities
formed the primary basis of the scientific recommendation to implement
the RNA within Dry Tortugas National Park.
    Comment #5: The Research Natural Area is not needed because
resources in the Dry Tortugas area (coral reefs, fisheries) are in good
shape. Fish stocks are not overfished.
    NPS Response: The NPS believes that the marine ecological resources
(i.e., coral reefs and fisheries) within Dry Tortugas National Park are
not ``in good shape.'' The coral reef fish stocks are well documented
and are considered to be overfished based on U.S. Government standards
(Ault et al. 2002, Ault et al. 2006). The most recent reef game fish
stock assessment, using data collected from the park in 1999-2004,
concluded that 17 of 18 grouper and snapper species are overfished,
based on their spawning potential ratio (Ault et al. 2006).
    The park's coral reefs, which are an essential habitat for reef
game fish, have similarly experienced substantial declines in the last
30 years. The substantial decline in stony corals, highlighted by the
recent listing of the major reef forming Acropora spp. as a threatened
species, is one of the most ecologically significant resource
stewardship challenges in the park. For example, there were 1180 acres
of staghorn coral dominating reefs in the park in 1976 (Davis 1982);
however, it is estimated that there are currently, at most, only a few
acres of live staghorn thickets left at Dry Tortugas National Park, a
greater than 99% loss. The largest acreage of staghorn loss has
occurred inside the proposed RNA. The stony coral cover on Bird Key
Reef has decreased by over 75% from 1975 to 2005 (W. Jaap, FWC pers.
comm.; Beaver et al. 2006). From 1999 to 2004, there was a greater loss
in stony coral cover in the Tortugas region than in the rest of the
Florida Keys (W. Jaap, FWC pers. comm.).
    When implemented, the Dry Tortugas RNA will allow NPS to better
understand the linkages between recreational fishing and stock
depletion, as well as fishery productivity and the coral reef
environment. The combination of deep-water habitats in the TER and the
shallow water habitats in the RNA should provide for long-term
sustainability and productivity of the important game fish species as
well as their associated coral reef

[[Page 76158]]

environments. This was the major justification that the FWC and the
Florida Department of Environmental Protection identified when they
stated their support for implementing the Dry Tortugas RNA.
    Comment #6: Commercial fishing in the Tortugas area causes far more
damage to fish stocks than recreational fishing and should be
prohibited around DRTO, if the NPS wants to improve fish stocks.
    NPS Response: Commercial fishing within Dry Tortugas National Park
has been prohibited since the original Fort Jefferson National Monument
was created in 1935. Since the NPS does not have jurisdiction in the
rest of the Tortugas region, this is an issue that NOAA, NMFS, and FWC
would need to evaluate. There have been a number of Federal and State
actions to limit the impact of commercial fishing in the Tortugas
region. In 2001, NOAA prohibited commercial fishing in the TER.
However, the TER does not include the important shallow reef habitats
critical to many reef game fishes, which would be protected by the
proposed RNA. The State of Florida has also outlawed fish traps, and
NOAA does not allow fish traps in the Tortugas region. NOAA began a 10-
year phase out of fish traps in the Gulf of Mexico in 1997 which will
prohibit the use of fish traps throughout the Gulf in 2007. Shrimp
trawls are also prohibited in coral reef areas. There are several lines
of evidence indicating that recreational fishing does impact fishery
stocks in the Tortugas and Florida Keys. A Tortugas coral reef fish
stock assessment (Ault et al. 2002) concluded that ``The Dry Tortugas
National Park fishery for many reef fish stocks is in worse shape than
the surrounding broader Tortugas region.'' This suggests that
recreational fishing is a factor because there has been no commercial
fishing in the park since 1935. NMFS has conducted stock assessments
for several reef game fishes distinguishing between commercial and
recreational effects of landings and bycatch mortality based on
landings statistics (SEDAR 2001-2005). These assessments found that for
many reef species in the Florida Keys, recreational anglers extract
more fish that commercial fishers. Recreational fishing in the park for
spiny lobster in the 1960's and early 1970's caused a documented
depletion in lobster abundance and a 58% decline in catch rates in the
park (Davis 1977, Davis and Dodrill 1980). In response, the NPS closed
the park to lobster harvesting in 1974.
    Finally, the NPS believes that additional protection from increased
recreational fishing activities in the Tortugas region is needed
because the fishery pressure is expected to greatly increase, because
the south Florida population is projected to nearly double by 2050.
Studies have shown that the number of registered boat owners in south
Florida has grown at a very high rate over the last two decades, while
commercial fishing pressures have remained relatively flat during this
same period. This again suggests that increased pressure from
recreational fishing is a significant factor in the sustainability of
the Tortugas fishery.
    Comment #7: Existing regulations and size and bag limits will
adequately protect fish stocks.
    NPS Response: Although current recreational fishing regulations are
beneficial, they have not been sufficient to sustain this important
fishery or to achieve the high standards of ecosystem protection
required by the NPS Organic Act and the Dry Tortugas National Park
enabling legislation. The well-documented condition of the Tortugas
fishery and associated coral reef habitats indicates that additional
protective actions are required. No-take marine reserves are commonly
implemented for fishery and ecosystem protection and recovery, in
addition to ongoing measures including bag limits, size limits, quotas,
and gear restrictions. The U.S. Coral Reef Task Force (USCRTF) states
that marine reserves are the most powerful tool for conservation of
coral reef ecosystems (USCRTF 2002). Similarly, the National Research
Council's 2000 review of marine protected areas endorsed the increased
use of no-take marine reserves in concert with conventional management
approaches (Marine Protected Areas, Tools For Sustaining Ocean
Ecosystems. National Academy Press).
    Comment #8: The no-take RNA will increase fishing pressure on areas
remaining open to fishing.
    NPS Response: The NPS disagrees with this assumption and believes
that the focus should be more on the overall condition of reef game
fish stocks and the health of the fishery in areas remaining open to
recreational or commercial fishing. A growing number of scientific
studies suggest that the ecological effect of implementing no-take
marine reserves results in an increase in the abundance and size of
target fishery species within areas adjacent to reserves, and thus
helps sustain adjacent fisheries, due to a net export of these species
from the reserve (also known as ``spillover effects''). A 2001
``Scientific Consensus Statement On Marine Reserves And Marine
Protected Areas'' signed by 161 marine scientists states, ``In the few
studies that have examined spillover effects, the size and abundance of
exploited species increase in areas adjacent to reserves.'' (National
Center for Ecological Analysis and Synthesis 2001).
    More recent scientific studies on coral reef fisheries have shown
that marine reserves have enhanced adjacent fisheries, including
greater fish biomass (i.e., more and/or larger fish), higher catch,
increased catch rate, and reduced fishing effort (McClanahan and Mangi
2000, Roberts et al. 2001, Galal et al. 2002, Russ et al. 2003, Russ et
al. 2004). DRTO plans to conduct similar scientific studies to assess
the spillover effects of the RNA.
    Even with RNA implementation, the vast majority of the Tortugas
area, and 54% of the park will remain open to recreational fishing.
    Comment #9: The RNA will unnecessarily restrict public access and
fishing opportunities in the park.
    NPS Response: The NPS disagrees. A variety of recreational and
educational opportunities will be available to visitors in the RNA
including boating, swimming, snorkeling, scuba diving, wildlife
viewing, and scientific research. Fishing will not be allowed in the
RNA in order to protect important nursery areas that will help produce
greater abundance and diversity of fish. Mooring buoys will be
installed to provide private and tour boat access to snorkel and dive
sites while protecting corals, shipwrecks, and other sensitive
resources from anchor damage. Allowing non-consumptive uses in the RNA,
with careful monitoring of impacts of these activities, will provide
exceptional resource appreciation and public education benefits. It
will also enable the NPS to meet its statutory obligation to ``protect
and interpret a pristine subtropical marine ecosystem, including an
intact coral reef community.''
    Fifty-four percent of park waters will remain open for recreational
fishing including the natural/cultural zone (50 square miles), five of
the park's seven islands, and the historic/adaptive use zone
surrounding Garden Key and Fort Jefferson (4 square miles). This
includes the overnight anchorage and shallows around Garden, Bush, and
Long Keys where angling for permit and tarpon is popular. Visitor
studies conducted by the NPS in 1995 and 2002 found that while the
majority of visitors (78%) did not fish on their visit to the park, it
is an important activity for those who do. The areas most heavily
fished were a circular area extending 1 mile in radius outwards from
Garden Key (64% of all trips) and the southwestern quarter of

[[Page 76159]]

the park (57%), and these areas will remain open to recreational
fishing. Private boaters often fish the anchorage adjacent to Fort
Jefferson and the flats surrounding the nearby keys. Fishing from the
dock and shoreline of Garden Key is popular with visitors arriving by
ferry or seaplane. The areas open for fishing includes 56% of the
park's seagrass meadows and 28% of park waters less than 6 feet deep.
    Significant large areas adjacent to the park also remain open for
recreational fishing. They include the southern half of the Tortugas
Banks (west of the park), the waters south and east of the park, and
the popular king-fishing area northeast of the park. These areas were
excluded from the FKNMS TER in order to protect fishing interests in
the region.
    NPS recognizes that some of the private and charter recreational
fishing that formerly occurred in the RNA will relocate to other areas
within and outside the park. The scientific literature and FKNMS
experience with no-take zones strongly suggests that the fishing
experience outside the RNA will be enhanced in the future as fish
populations increase in size and number as a result of establishing
zones dedicated to improving the spawning and juvenile populations. The
presence of substantially larger fish should benefit trophy fishing in
park waters adjacent to the RNA. These larger fish could also leave the
RNA and be caught by recreational or commercial fishermen outside the park.
    Comment #10: Public involvement for the proposed regulations was
inadequate.
    NPS Response: Public involvement in the Dry Tortugas National Park
GMPA and the proposed regulations has been both extensive and inclusive
as described in the background section above.
    Comment #11: To better protect elkhorn coral (Acropora palmate) and
staghorn coral (Acropora prolifera) patches special protection zones,
the NPS should:
    A: Close the 5 Foot Channel and install closure/marker buoys a
sufficient distance inshore (toward the Fort) in 5 Foot Channel and on
Long Key-Bird Key forereef near the entrance of 5 Foot Channel.
    NPS Response: NPS agrees, and this closure will be implemented.
    B: Delineate the zones with marker buoys rather than rely on
boaters to determine if they are 100 yards away from the patches.
    NPS Response: NPS agrees, and the zones will be appropriately marked.
    C: Prohibit aircraft from taxiing, landing, or taking off within
the special protection zones.
    NPS Response: NPS agrees. This rule has been revised to read ``a
landing or takeoff may not be made * * * within five hundred (500) feet
of any closed area.'' This includes all special protection zones.
    D: Include information on threatened status of elkhorn and staghorn
corals in the Section by Section analysis paragraph (c).
    NPS Response: NPS agrees and has modified the Section-by-Section
Analysis to include this information.
    Comment #12: NPS should prohibit anchoring in rubble bottom
anywhere in the park because of potential negative impacts to corals,
especially elkhorn and staghorn corals recently listed as threatened
species under the Endangered Species Act, and to other ecological
resources. Only anchoring in sand bottom should be permitted. Mooring
buoys should be installed to facilitate access to coral areas without
damage.
    NPS Response: This rule has been revised deleting any reference to
anchoring on rubble bottom. More specifically, the definition of the
``designated anchorage'' has been revised to read: ``Designated
anchorage means any area of sand within one nautical mile of the Fort
Jefferson Harbor Light.'' The rule is now consistent with the anchoring
provisions applicable in the FKNMS.
    NPS will make installation of mooring buoys on the Long Key-Bird
Key Reef a priority. However, boats will still be able to anchor on
sand bottom on the portion of this reef that is in the designated
anchorage around Garden Key. NPS will provide educational material to
inform boaters of anchoring locations on the reef so as to minimize the
ecological effects of anchoring damage and identify reef areas to
avoid. NPS will monitor and assess the ecological effects of anchoring
on the Long Key-Bird Key Reef and adaptively manage visitor use to
minimize ecological impacts.
    Comment #13: The nurse shark mating area between Long Key and the
elkhorn coral (Acropora palmata) patch should be a seasonally closed
special protection zone.
    NPS Response: Since this closure is based on a seasonal need that
can vary from year-to-year, the NPS will address this closure using
authority delegated to the Superintendent by NPS regulations.
    Comment #14: The National Oceanic and Atmospheric Administration
noted that the draft regulation and section-by-section discussion
regarding discharges into park waters (paragraph (g), while similar to
FKNMS regulations at 15 CFR 922.163, are inconsistent with FKNMS
regulations for discharges within the Tortugas Ecological Reserve at 15
CFR 922.164(d)(1)(i). NOAA's discharge regulations for the TER only
allow for the discharge of cooling water and engine exhaust. As a
result, the draft NPS regulations would allow for certain types of
discharges in the Research Natural Area zone that are not allowed in
the adjacent TER (i.e., fish parts, bilge water, and gray water).
    NPS Response: NPS appreciates the identification of this
discrepancy and has revised the rule and section-by-section discussion
to make discharge regulations within the Research Natural Area
identical to those for the TER. The NPS intends for the RNA regulations
to be consistent or ``seamless'' with FKNMS regulations for the TER as
both agencies share identical resource protection goals and wish to
maximize public understanding and minimize confusion regarding
allowable activities in these zones.
    Complete citations to publications referenced in the Response to
Specific Comments section may be viewed on the park's Web site at:
http://www.nps.gov/drto/parkmgmt/index.htm.

Changes to the Final Rule

    Based on the preceding comments and responses, the NPS has made
four substantive changes to the proposed rule language.
    1. The definition of ``designated anchorage'' (a)(3) was modified
by removing the reference to ``rubble bottom.'' The definition now
reads, ``any area of sand within one nautical mile of the Fort
Jefferson Harbor Light.''
    2. The definition of ``not available for immediate use'' (a)(11)
was modified to delete the reference to requiring the removal of hooks
and lures from fishing rods. The definition now reads, `` not readily
accessible for immediate use, e.g., by being stowed unbaited in a
cabin, locker, rod holder, or similar storage area, or being securely
covered and lashed to a deck or bulkhead.''
    3. (k)(2)(a). The landing and takeoff of aircraft was modified to
include all closed areas within the designated landing zone (within a
radius of one mile of Garden Key). The proposed regulations restricted
aircraft landings and takeoffs to within 500 feet of Bush Key when that
island was closed for wildlife nesting. Other sensitive areas within
the vicinity have been identified as needing the 500 foot buffer from
aircraft landings and takeoffs. These include the staghorn coral (Acropora

[[Page 76160]]

prolifera) and elkhorn coral (Acropora palmata) patches and the nurse
shark mating area. The regulation has been modified to read, ``Aircraft
may be landed on the waters within a radius of one (1) mile of Garden
Key, but a landing or takeoff may not be made within five hundred (500)
feet of any closed area.''
    4. Paragraph (g), regulations for discharges into park waters, was
modified to prohibit vessel discharges in the Research Natural Area,
with the exception of engine cooling water and exhaust. The draft
regulation would have allowed for other discharges in the RNA (i.e.,
fish parts, bilge water, and gray water) that are inconsistent with the
goal of maintaining the highest possible water quality in this zone.
The revised regulation will enhance resource protection in the RNA and
is consistent with NOAA discharge regulations for the adjacent Tortugas
Ecological Reserve.

Section-by-Section Analysis

(a) What terms do I need to know?

    In order to provide clarity and reduce possible confusion, 15
definitions have been included in this paragraph. They include:
baitfish, cast net, designated anchorage, dip net, finfish, flat wake,
guide fishing, live rock, lobster, marine life, not available for
immediate use, ornamental tropical fish, permits, research natural
area, and shrimp. Common fish names referred to in the regulations are
further clarified by including scientific names.

(b) Are there recreational fishing restrictions that I need to know?

    Section 2.3(a) of this chapter adopts non-conflicting state fishing
laws as part of the general NPS regulations applicable to all units of
the National Park System unless regulations for particular park areas
specify otherwise. For Dry Tortugas National Park, additional
requirements relating to fishing are included to achieve the park's
purposes and implement planning decisions. Recreational fishing
activities must comply with the state regulations unless those
activities are otherwise restricted or prohibited in this section. Any
reference to fishing in Sec.  7.27 refers to recreational fishing,
which is the taking, attempting to take, or possessing of fish for
personal use. This is the same definition used by the State of Florida.
All references to commercial fishing have been removed since this
activity is already prohibited by 36 CFR 2.3(d)(4).
    The intent of paragraph (b)(1) allows the Superintendent to impose
restrictions or closures to protect fish species within the park. After
consulting with and obtaining the concurrence of the FWC, the
Superintendent may impose closures and establish conditions or
restrictions necessary pertaining to fishing, including but not limited
to species of fish that may be taken, seasons and hours during which
fishing may take place, methods of taking, and size, bag and possession
limits. In emergency situations, after consulting with the FWC, the
Superintendent may impose temporary closures and establish conditions
or restrictions for up to two thirty-day periods. In emergency
situations where consultation in advance is not possible, the
Superintendent will consult with the FWC within 24-hours of the
initiation of closures or restrictions. This provision of such closures
and restrictions is in furtherance of the park's enabling legislation,
which identifies protection of fish and wildlife as a purpose of its
establishment. The public will receive notice of such closures or
restrictions by one or more of the methods listed in Sec.  1.7 of this
chapter.
    Paragraph (b)(2) identifies which fish can be taken and the legal
methods for taking these fish. Fishing is limited to fin fish caught by
a closely attended hook-and-line, bait fish caught by hook-and-line,
cast nets or dip nets, and shrimp caught by dip nets or cast nets. For
the last 10 years, these restrictions have been enforced through the
Superintendent's Compendium, which serves as a local management guide
authorized by 36 CFR 1.5. The previous restriction in 36 CFR
7.27(a)(5)(i), that limits cast nets to 12 feet in diameter, has been
deleted. There appears to be no compelling ecological or environmental
reason to restrict the size of the cast nets. This change would make
the park's regulations consistent with state regulations.
    Paragraph (b)(3) identifies areas that are closed to fishing,
including the RNA. Note, however, that paragraph (b)(3)(i) includes
provisions that allow vessels to transit the RNA with legally harvested
fish and fishing gear onboard. The provisions of paragraph (b)(3) are
consistent with the regulations applicable to the adjacent TER within
the FKNMS (15 CFR 922.164; Florida Administrative Code 68B-6.003). The
other closed areas are the waters inside the Garden Key moat that
surrounds Fort Jefferson and those within the designated swimming and
snorkeling area. Fishing in these areas has been found to be
incompatible with the identified visitor activities of boating,
swimming and snorkeling, and for safety reasons in the helicopter-
landing zone.
    Paragraph (b)(4) identifies specific prohibitions on fishing within
the park. This paragraph lists certain fishing practices that differ
from those allowed under State of Florida regulations because these
practices are incompatible with the goals and management direction of
the park.
    Paragraph (b)(4)(i) provides for complete protection of lobster
within the park. All existing regulations found in 36 CFR 7.27(a)(2)
related to recreational fishing catch limits for lobster, have been
deleted. Prohibiting individuals from being in the water when they have
lobster onboard their vessel will further enhance the protection of
park resources. This ``prima facie'' (at first view) evidence of
violation is similar to the state of Florida regulations for the
Biscayne Bay/Card Sound Spiny Lobster Sanctuary (FAC 68B-11.004), and
for John Pennecamp Coral Reef State Park (FAC 68B-24.005). In Dry
Tortugas National Park, the harvesting of lobster has been previously
prohibited through the use of the Superintendent's authority to
regulate public use under 36 CFR 1.5. This prohibition was based on
data collected by NPS biologists in a 1975 study, which indicated that
legal harvesting was removing almost 90% of the lobster within the
park. The Gulf of Mexico Fisheries Management Council concurred with
this finding and recommended that the park be established as a
sanctuary for lobster to assist in maintaining a population for
dispersal to areas outside the park.
    The proposed regulations in paragraph (b)(4)(ii), concerning
possession and use of spearguns and other weapons are similar to
regulations for the ecological reserves and sanctuary preservation
areas found within the FKNMS (15 CFR 922.164). The State of Florida has
similar regulations restricting spearfishing activities found in FS
370.172. This proposed regulation expands on the current regulation, 36
CFR 7.27(a)(7), to include guns, bows and other similarly powered
weapons. Paragraph (b)(4)(iii) recognizes that a gaff is a common
fishing device used to retrieve legally taken fish from the water,
while identifying other prohibited fishing devices.
    Although all natural resources within a national park area are
protected from removal, disturbance, injury, or destruction by the
general regulations found at 36 CFR 2.1, the provision at paragraph
(b)(4)(iv) clarifies that ornamental tropical fish as well as all other
forms of marine life within Dry Tortugas National Park are specifically

[[Page 76161]]

protected. This additional level of protection will help achieve the
congressional direction to protect a pristine subtropical marine
ecosystem, including an intact coral reef community.
    The intent of (b)(4)(v) is to protect coral and other submerged
resources from damage or injury by prohibiting the dragging or trawling
of nets that are otherwise allowed to be used in the park.
    Paragraph (b)(4)(vi) prohibits the use of nets, other than dip or
cast nets. The State of Florida general recreational fishing
regulations allow other nets (bully nets, frame and push nets, beach or
haul seines) which are inappropriate and harmful to various submerged
resources in the park.
    Current regulations pertaining to sea turtles and conch found in 36
CFR 7.27(a)(1) and (3) have been deleted as unnecessary. The State of
Florida has prohibited the taking of conch since 1985 and the general
NPS regulations already adopt all non-conflicting state laws. Because
all sea turtles are currently listed as endangered or threatened
species under the Endangered Species Act (16 U.S.C. 1538), it is
unnecessary to duplicate prohibitions on their taking in these regulations.
    Consistent with 36 CFR 5.3, paragraph (b)(4)(vii) requires that all
fee-for-service guides (including guides for fishing and diving) obtain
a permit or other NPS approved commercial use authorization. This
permit system allows the park to better manage the fisheries and other
park resources. The Superintendent may limit the number of permitted
guides within the park in order to conserve park resources and enhance
the visitor experience.

(c) Are there any areas of the park closed to the public?

    Yes. Paragraph (c) identifies areas that will be closed to public
access. The Long/Bush Keys coral patch has been identified by
biologists as ``fused'' staghorn (Acropora prolifera), a very rare
hybrid of staghorn and elkhorn corals. This coral patch is threatened
by a disease that is devastating staghorn and elkhorn coral in Biscayne
National Park and the FKNMS. The elkhorn coral (Acropora palmata) patch
also located in this area is the only remaining community of elkhorn
coral found in the park. Elkhorn coral assemblages were once very
abundant in the park, occupying about 440,000 square meters in 1881.
Today this only known remaining elkhorn stand covers only a few hundred
square meters. The NMFS has recently designated elkhorn and staghorn
coral as ``threatened species'' under the Endangered Species Act. (May
9, 2006, 71 FR 26852).
    Hospital and Long Keys have been closed for the last 10 years
pursuant to the Superintendent's compendium authority under 36 CFR 1.5.
The largest remaining breeding colony of Magnificent Frigate birds in
the United States lives on Long Key. The threatened Masked Booby and
other sea birds live and breed on Hospital Key. Seasonal closures of
Bush Key, East Key and portions of Loggerhead Key for turtle and bird
nesting may continue to be designated through the Superintendent's
compendium pursuant to 36 CFR 1.5, 1.7.

(d) Is Loggerhead Key open to the public?

    Loggerhead Key will be open to the public subject to closures in
certain areas and restrictions on certain activities. Loggerhead Key is
the largest key in the park and contains an operating 150-foot
lighthouse and other structures. Most of the island falls within the
RNA; however, the center portion, containing the lighthouse and the
other structures, falls within a historic preservation/adaptive use
zone. Paragraph (d) is consistent with the FGMPA ROD provision to
manage access and recreational activities on Loggerhead Key. To protect
the natural and cultural resources of the island, as well as providing
appropriate visitor experiences, the Superintendent may impose terms
and conditions on activities as necessary. The public will be notified
of any such requirements through one or more of the methods listed in
Sec.  1.7 of this chapter. Such terms and conditions include, but are
not limited to: docking, hiking restrictions, beach and swimming
access, and other restrictions or closures necessary to conserve the
natural and cultural resources of the island.

(e) Are there restrictions that apply to anchoring a vessel in the park?

    Paragraph (e) addresses anchoring locations in general and
anchoring prohibitions in the RNA. In the past, boaters have commonly
anchored in sea grass beds and rubble bottom, which has resulted in
unacceptable impacts to park resources. By restricting anchoring to
authorized locations and prohibiting anchoring in all other areas,
except in emergencies, degradation to coral reefs and seagrass meadows
will be significantly reduced. Paragraph (e)(2) requires vessels to use
mooring buoys in the RNA. The RNA requires a higher level of protection
for the marine ecosystem; thus the use of anchors in this area is
prohibited.
    Paragraph (e)(3) specifies where vessels can anchor. The
``designated anchorage'' identified in the existing 36 CFR 7.27(b) is
also revised to reflect the GMPA's management zone which calls for
limiting anchorage of vessels from sunset to sunrise to the historic
preservation/adaptive use zone around Garden Key. This ``designated
anchorage'' is any sand bottom within one nautical mile of the Fort
Jefferson Harbor Light.
    Paragraph (e)(4) imposes restrictions on anchoring by commercial
fishing and shrimping vessels consistent with U.S. Coast Guard
regulations found in 33 CFR 110.190.

(f) What vessel operations are prohibited?

    This paragraph addresses several issues of unsafe or otherwise
prohibited vessel operations. The Fort Jefferson moat is closed to
vessels to preserve and protect the historic scene and prevent damage
to the structures. Vessel use in the moat could damage the walls of the
fort and the integrity of the moat wall. Because of the large volume of
vessel traffic in and around the Garden Key and Bird Key harbors,
vessels are required to operate at a flat wake speed to prevent injury
and damage resulting from boat wakes.

(g) What are the regulations regarding the discharge of materials in
park waters?

    Paragraph (g) provides additional protection for water quality
within the park by generally prohibiting the discharge or deposit of
any material or substance in park waters. The NPS wishes to maintain
the highest possible water quality, free of bacterial and chemical
contamination, for health and safety reasons as well as to maintain the
park's environment. Paragraph (g)(1)(i) prohibits the discharge of any
materials or other matter within the Research Natural Area with the
only exception being for cooling water or engine exhaust. This
regulation is identical to NOAA discharge regulations for the adjacent
Tortugas Ecological Reserve at 15 CFR 922.164(d)(1)(i).
    Paragraph (g)(1)(ii) allows for limited discharges from vessels,
(gray water, deck wash water, cooling water, engine exhaust and oil-
free bilge water), and some natural substances (fish parts) in park
waters outside the Research Natural Area. The NPS recognizes that these
discharges would have minimal impact on water quality and are
consistent with the recreational fishing and anchoring activities
authorized in

[[Page 76162]]

these zones. These regulations are similar to NOAA discharge
regulations for the FKNMS at 15 CFR 922.163.
    To address future issues regarding the discharge of materials or
substances in park waters, paragraph (g)(2) authorizes the
Superintendent to impose further restrictions as necessary to protect
park resources, visitors, or employees. The public will be notified of
any changes through one or more methods listed in Sec.  1.7 of this chapter.

(h) What are the permit requirements in the park?

    Paragraph (h) requires that individuals obtain a permit to take
part in any recreational activity occurring from a vessel within park
boundaries. Permits may be issued in writing or be provided by oral
(radio or telephone) authorization. Permitted activities may include
snorkeling, diving, wildlife viewing, photography, and the use of
mooring buoys. In the RNA, no permits will be issued for anchoring or
fishing, both of which are expressly prohibited in this zone. However,
a permit is not required for vessels merely transiting the park without
stopping to engage in research or recreational activities. All research
conducted in the park requires a permit. In the RNA, permits will only
be issued for non-manipulative research (i.e., that which does not
alter the existing condition).

(i) How are coral and other underwater features protected in the park?

    The coral formations within the park are internationally recognized
as unique and significant. Public Law 102-525 requires protection of
the ``pristine subtropical marine ecosystems, including an intact coral
reef community.'' Accordingly, this rule provides new provisions for
the protection of corals. Significant damage to coral can be caused by
divers or snorkelers handling or standing on coral, especially in areas
of heavy use. In this rule, the NPS hopes to better protect the
resources by specifically prohibiting these actions, thereby resulting
in persons being responsible for any damage that occurs to coral
through contact with their body or their equipment, such as fins, SCUBA
tanks, gauges, or cameras. Language is also included to prohibit taking
or removing corals and live rock. Coral damage caused by vessels is
often attributed to carelessness of vessel operators but can be avoided
through more careful vessel operation. This rule makes vessel operators
responsible for preventing damage to corals by their vessels. These
last two provisions are similar to regulations in the adjacent FKNMS
(15 CFR 922.163).
    Paragraph (i)(3) makes vessel operators responsible for any damage
to coral, seagrass or any other underwater feature caused by their
anchors or anchor parts. This is to prevent damage to fragile resources
and assure the highest level of resource protection.

(j) What restrictions do I need to know when on or near shipwrecks
found in the park?

    Paragraph (j) provides specific protection for wrecked or abandoned
craft and their cargo. Dry Tortugas National Park possesses one of the
greatest concentrations of historically significant shipwrecks in North
America, with some dating back to the 1600's. Within the park boundary,
there have been more than 275 documented maritime casualties
(shipwrecks, groundings, strandings), and human activity has left a
significant historical record. Protection of submerged cultural
resources is a park priority, as well as a management purpose
identified in Public Law 102-525. Consistent with the park's statutory
mandate, this rule will provide specific protection for these cultural
resources in addition to protections provided by applicable law.

(k) Can aircraft land in the park?

    Paragraph (k) requires the Superintendent to manage aircraft
operations by requiring users to obtain a permit to land seaplanes in
the park. Seaplanes provide transportation for a significant number of
park visitors. The NPS's general regulation at 36 CFR 2.17 authorizes
the Superintendent to designate, through a special regulation,
operating/landing locations within the park. It also prohibits aircraft
from operating under power within 500 feet of swimming beaches, boat
docks, or piers unless designated through a special regulation. In
order to reach the designated ramp for discharging passengers,
seaplanes must taxi within 500 feet of dock areas. This paragraph
specifies that a landing or takeoff may not be made within 500 feet of
Garden Key or 500 feet of any area designated as closed (e.g., Bush Key
when it is closed for wildlife nesting), but taxiing is allowed when
seaplane use is permitted. The existing regulations use a 300 yard
limit for approaches, landings and takeoffs. The new limit of 500 feet
will also bring these regulations in line with the general aircraft
regulations provision of 500 feet.

Compliance With Other Laws

Regulatory Planning and Review (Executive Order 12866)

    The Office of Management and Budget has determined that this
document is a significant rule and has reviewed this rule under
Executive Order 12866.
    (1) This rule will not have an effect of $100 million or more on
the economy. It will not adversely affect in a material way the
economy, productivity, competition, jobs, the environment, public
health or safety, or State, local, or tribal governments or
communities. The NPS has completed the report ''Cost-Benefit Analysis:
Proposed Regulations Implementing the Final General Management Plan
Amendment/Environmental Impact Statement for Dry Tortugas National
Park.'' (August 15, 2005) This document may be viewed on the park's Web
site at: http://www.nps.gov/drto/parkmgmt/index.htm.
    This conclusion is based on the fact that the proposed regulations
would not impose significant impacts on any business. The regulations
are based on the FGMPA/EIS or are restatements, clarifications, and
definitions of previously established policies and regulations
resulting in no change or effects on the economy.
    (2) This rule will not create a serious inconsistency or otherwise
interfere with an action taken or planned by another agency. Actions
taken under this rule will not interfere with other agencies or local
government plans, policies, or controls. This rule is an agency
specific rule.
    (3) This rule will not materially affect budgetary effects of
entitlements, grants, user fees, or loan programs or the rights or
obligations of their recipients. No grants or other forms of monetary
supplements are involved.
    (4) OMB has determined that this rule raises novel legal or policy
issues and OMB has reviewed the rule under Executive Order 12866.

Regulatory Flexibility Act

    The Department of the Interior certifies that this rulemaking will
not have a significant economic effect on a substantial number of small
entities under the Regulatory Flexibility Act (5 U.S.C. 601 et seq.).
This certification is based on a report entitled ``Regulatory
Flexibility Threshold Analysis: Proposed Regulations Implementing the
Final General Management Plan Amendment/Environmental Impact Statement
for Dry Tortugas National Park.'' (January 27, 2005). This document may
be viewed on the park's

[[Page 76163]]

Web site at: http://www.nps.gov/drto/parkmgmt/index.htm.

Small Business Regulatory Enforcement Fairness Act (SBREFA)

    This rule is not a major rule under 5 U.S.C. 804(2), the Small
Business Regulatory Enforcement Fairness Act. This proposed rule:
    a. Does not have an annual effect on the economy of $100 million or
more.
    b. Will not cause a major increase in costs or prices for
consumers, individual industries, Federal, State, or local government
agencies, or geographic regions.
    c. Does not have significant adverse effects on competition,
employment, investment, productivity, innovation, or the ability of
U.S.-based enterprises to compete with foreign-based enterprises.

Unfunded Mandates Reform Act

    This rule will not impose an unfunded mandate on State, local, or
tribal governments or the private sector of more than $100 million per
year. The rule will not have a significant or unique effect on State,
local or tribal governments or the private sector. This rule is an
agency specific rule and does not impose any other requirements on
other agencies, governments, or the private sector.

Takings (Executive Order 12630)

    In accordance with Executive Order 12630, the rule does not have
significant takings implications. A taking implication assessment is
not required. No taking of personal property will occur as a result of
this rule.

Federalism (Executive Order 13132)

    In accordance with Executive Order 13132, the rule does not have
sufficient federalism implications to warrant the preparation of a
Federalism Assessment. This proposed rule only applies to the use of
NPS administered lands and waters.
    Both the State of Florida and the United States claim title to
submerged lands located within the boundaries of the park established
by Congress. Rather than addressing this issue through potentially
protracted litigation, the State and the Department have entered into
the ``Management Agreement for Certain Submerged Lands in Monroe
County, Florida, Located within Dry Tortugas National Park'' approved
by the Florida Governor and Cabinet on August 9, 2005 and by the
Secretary of the Interior on December 20, 2005. This document may be
viewed on the park's Web site at 
http://www.nps.gov/drto/parkmgmt/index.htm.
    This rule is consistent with the requirements of the management
agreement. Once final, the regulations will be reviewed by the NPS at
least every five years, and as appropriate, revised, and reissued,
based upon the results of the research program conducted pursuant to
the management agreement as well as the information contained in the
management plan status report prepared by the NPS detailing the status
and activities of the implementation of the FGMPA/EIS. Information and
data collected regarding the effectiveness and performance of the RNA
will also be reviewed and evaluated. Under adaptive management, NPS may
consider changes in the RNA, including boundary adjustments and
modifications to the protection and conservation management strategies
applicable to the RNA.
    Consistent with the management agreement, the NPS has obtained the
concurrence of the Board of Trustees of the Internal Improvement Trust
Fund regarding that portion of the regulations pertaining to the
management of submerged lands within the park. Further, the NPS will
submit for review to the FWC any proposed revisions or amendments thereto.

Civil Justice Reform (Executive Order 12988)

    In accordance with Executive Order 12988, the Office of the
Solicitor has determined that this rule does not unduly burden the
judicial system and meets the requirements of sections 3(a) and 3(b)(2)
of the Order.

Paperwork Reduction Act

    This regulation does not require an information collection from 10
or more parties and a submission under the Paperwork Reduction Act is
not required. An OMB Form 83-I is not required.

National Environmental Policy Act

    The Department of the Interior, National Park Service prepared a
Final General Management Plan Amendment/Environmental Impact Statement
(FGMPA/EIS) for Dry Tortugas National Park, Monroe County, Florida.
Five alternatives were evaluated for guiding the management of the park
over the next 15 to 20 years. The alternatives incorporate various
zoning applications and other management provisions to ensure resource
protection and quality visitor experience conditions. The environmental
consequences anticipated from implementation of each alternative are
addressed in the FGMPA/EIS. Impacts to natural and cultural resources,
visitor experience, socioeconomic environment, and park operations/
facilities are analyzed. The FGMPA/EIS was prepared in conjunction with
planning by the FKNMS, the FWC, and the GMFMC to establish the TER in
state and federal waters adjacent to Dry Tortugas National Park. State
and Federal approvals for the TER are complete and implementation of
the ecological reserve is underway.
    After careful consideration of legislative mandates, visitation
trends, environmental impacts, relevant scientific studies, and
comments from the public and agencies, the NPS chose to implement
Alternative C as described in the Final GMPA/EIS issued in January 2001
(with some minor clarifications, as listed in Appendix A, Errata). This
alternative best accomplishes the legislated purposes of DRTO and the
statutory mission of the NPS to provide long-term protection of park
resources and values while allowing for visitor use and enjoyment. It
also furthers the objectives of Executive Order 13089, Coral Reef
Protection.
    The goal of the selected action is to afford a high level of
protection to park resources and provide for appropriate types and
levels of high quality visitor experiences. This will be accomplished
through management zoning, establishing visitor carrying capacity for
specific locations in the park, using commercial services to direct and
structure visitor use, and instituting a permit system for private
boaters. A wide range of recreational and educational opportunities
will be available to visitors provided that appropriate resource
conditions are maintained. Visitor experiences will be enhanced due to
expanded access throughout the park and higher quality resources to enjoy.
    Multiple consultations took place with government agencies during
the EIS process, including the FKNMS, the FWC, and the GMFMC. The NPS
Southeast Regional Director signed the Record of Decision (ROD) on July
27, 2001. In reaching a decision, NPS carefully considered the comments
and concerns expressed by the public throughout the EIS process. The
EIS and ROD are available online at: http://www.nps.gov/drto/parkmgmt/
index.htm. or at Everglades National Park, as indicated above under the
heading FOR FURTHER INFORMATION CONTACT.
    Pursuant to section 7 of the Endangered Species Act, the NPS has
consulted with the U.S. Fish and Wildlife Service (FWS) and the National

[[Page 76164]]

Marine Fisheries Service (NMFS) regarding potential effects of the
proposed regulations on federally listed species. On December 15, 2005,
the FWS determined that the proposed rule would have no effect on the
Bald eagle and would not likely adversely affect nesting marine
turtles, the American crocodile, West Indian manatee or the Roseate tern.
    On June 7, 2006, the NMFS issued a Biological Opinion on the
proposed rule. NMFS determined that the continuation of hook and line
fishing in the park may result in the lethal take of one sea turtle
annually. NMFS concluded that this level of take is not likely to
jeopardize the continued existence of green, hawksbill, leatherback, or
loggerhead sea turtles. The Biological Opinion authorizes lethal take
of one sea turtle per year and determined that the following Reasonable
and Prudent Measures (RPM) are necessary and appropriate to minimize
impacts of incidental take of sea turtles.
    1. NPS must ensure that the Dry Tortugas National Park Sea Turtle
Monitoring Program is maintained and capable of both detecting any
adverse effects resulting from recreational fishing inside the park and
assessing the actual level of incidental take in comparison with the
anticipated incidental take documented in this opinion.
    2. NPS must implement outreach programs seeking to increase
awareness among park anglers and visitors of protected species within
the park and ways to reduce encounters with those species.
    3. NPS must provide NMFS' Southeast Regional Office of Protected
Resources Division (F/SER3) with sufficient information to monitor this
Incidental Take Statement.
    To be exempt from liability for take prohibited by section 9 of the
ESA, NPS must comply with the following terms and conditions, which
implement the RPMs described above. These terms and conditions are non-
discretionary.
    To implement RPM No. 1:
    1. NPS must increase its sea turtle stranding surveillance to at
least twice weekly. This surveillance should be split equally between
shore and in water surveys when feasible.
    2. NPS must establish a reporting system that requires anglers or
charter boat guides to report interactions between their fishing party
and sea turtles.
    To implement RPM No. 2:
    3. NPS must develop and implement an outreach program to educate
recreational fishers on sea turtle handling protocols, emphasizing
release procedures that minimize stress and maximize survival potential.
    4. NPS must supply recreational fishers with verbal and/or written
information on fishing gear that can reduce sea turtle bycatch (i.e.,
circle hooks).
    To implement RPM No. 3:
    5. NPS must notify F/SER3 immediately if they believe a sea turtle
stranding is related in any way to fishing activities within the park.
    6. NPS shall monitor sea turtle strandings to ensure incidental
take levels do not exceed the authorized level. If at any time, the
take level stated in this opinion is exceeded, NPS must notify F/SER3
immediately. Stranding reports shall be submitted to F/SER3 annually.
Submitted reports must include any information on the causes of
strandings, with special attention paid to any fishing gear associated
with the animal.

Government-to-Government Relationship With Tribes

    In accordance with the President's memorandum of April 29, 1994,
``Government to Government Relations with Native American Tribal
Governments'' (59 FR 22951) and 512 DM 2, we have evaluated potential
effects on federally recognized Indian tribes and have determined that
there are no potential effects.

List of Subjects in 36 CFR Part 7

    National parks, Recreation.

? For reasons stated in the preamble, the National Park Service amends 36
CFR part 7 as follows:

PART 7--SPECIAL REGULATIONS, AREAS OF THE NATIONAL PARK SYSTEM

? 1. The authority for part 7 continues to read as follows:

    Authority: 16 U.S.C. 1, 3, 9a, 460(q), 462(k); Sec. 7.96 also
issued under D.C. Code 8-137 (1981) and D.C. Code 40-721 (1981).

? 2. Section 7.27 is revised as follows:

Sec.  7.27  Dry Tortugas National Park.

    (a) What terms do I need to know? The following definitions apply
to this section only:
    (1) Bait fish means any of the following:
    (i) Ballyhoo (family Exocioetidae and genus Hemiramphus), other
genus may be included in this family;
    (ii) Minnow (families Cyprinodontidae, Peciliidae, or Aherinidae);
    (iii) Mojarra (family Gerreidae);
    (iv) Mullet (family Mugilidae);
    (v) Pilchard (family Clupeidae); or
    (vi) Pinfish (family Sparidae, genus Lagodon).
    (2) Cast net means a type of circular falling net, weighted on its
periphery, which is thrown and retrieved by hand, measuring 14 feet or
less stretched length (stretched length is defined as the distance from
the horn at the center of the net with the net gathered and pulled
taut, to the lead line).
    (3) Designated anchorage means any area of sand within one nautical
mile of the Fort Jefferson Harbor Light.
    (4) Dip net means a hand held device for obtaining bait, the
netting of which is fastened in a frame. A dip net may not exceed 3
feet at its widest point.
    (5) Finfish means a member of subclasses Agnatha, Chondrichthyes,
or Osteichthyes.
    (6) Flat wake speed means the minimum required speed to leave a
flat wave disturbance close astern a moving vessel yet maintain
steerageway, but in no case in excess of 5 statute miles per hour.
    (7) Guide operations means the activity of a person, partnership,
firm, corporation, or other entity to provide services for hire to
visitors of the park. This includes, but is not limited to, fishing,
diving, snorkeling, and wildlife viewing.
    (8) Live rock means any living marine organism or assemblage
thereof attached to a hard substrate, including dead coral or rock but
not individual mollusk shells.
    (9) Lobster means any of the following:
    (i) Shovelnosed or Spanish Lobster (Scyllarides aequinocti);
    (ii) Slipper lobster (Parribacus antarcticus);
    (iii) Caribbean spiny lobster (Panulirus argus); or
    (iv) Spotted spiny lobster (Panulirus guttatus).
    (10) Marine life means:
    (i) Sponges, sea anenomes, corals, jellyfish, sea cucumbers,
starfish, sea urchins, octopus, crabs, shrimp, barnacles, worms, conch;
and
    (ii) Other animals belonging to the Phyla Porifera, Cnidaria,
Echinodermata, Mollusca, Bryozoa, Brachiopoda, Arthropoda,
Platyhilmenthes, and Annelida.
    (11) Not available for immediate use means not readily accessible
for immediate use (e.g., by being stowed unbaited in a cabin, locker,
rod holder, or similar storage area, or being securely covered and
lashed to a deck or bulkhead).
    (12) Ornamental tropical fish means a brightly colored fish, often
used for aquarium purposes and which lives in

[[Page 76165]]

close relationship to coral communities, belonging to the families
Syngathidae, Apogonidae, Pomacentridae, Scaridae, Blennidae,
Callionymidae, Gobiidae, Ostraciidae, or Diodontidae.
    (13) Permit, in the case of 36 CFR part 7.27, means an
authorization in writing or orally (e.g., via radio or telephonically).
    (14) Research Natural Area (RNA) at Dry Tortugas National Park
means the 46-square-statute-mile area in the northwest portion of the
park enclosed by connecting with straight lines the adjacent points of
82[deg]51' W and 24[deg]36' N, and 82[deg]58' W and 24[deg]36' N west
to the park boundary, but excluding:
    (i) The designated anchorage;
    (ii) Garden Key, Bush Key and Long Key; or
    (iii) The central portion of Loggerhead key including the
lighthouse and associated buildings.
    (15) Shrimp means a member of the genus Farfantepenaeus, Penaeus sp.
    (b) Are there recreational fishing restrictions that I need to know?
    (1) Yes. After consulting with and obtaining the concurrence of the
Florida Fish and Wildlife Conservation Commission, based on management
objectives and the park fisheries research, the Superintendent may
impose closures and establish conditions or restrictions necessary
pertaining to fishing, including, but not limited to, species of fish
that may be taken, seasons, and hours during which fishing may take
place, methods of taking, and size, bag, and possession limits. The
public will be notified of any changes through one or more methods
listed in Sec.  1.7 of this chapter. In emergency situations, after
consulting with the Florida Fish and Wildlife Conservation Commission,
the Superintendent may impose temporary closures and establish
conditions or restrictions necessary, but not exceeding 30 days in
duration which may be extended for one additional 30 day period,
pertaining to fishing, including, but not limited to, species of fish
that may be taken, seasons, and hours during which fishing may take
place, methods of taking, and size, bag, and possession limits. In
emergency situations where consultation in advance is not possible, the
Superintendent will consult with the Florida Fish and Wildlife
Conservation Commission within 24-hours of the initiation of the
temporary closure or restriction.
    (2) Only the following may be legally taken from Dry Tortugas
National Park:
    (i) Fin fish by closely attended hook-and-line;
    (ii) Bait fish by closely attended hook and line, dip net, or cast
net and limited to 5 gallons per vessel per day; and
    (iii) Shrimp may be taken by dip net or cast net.
    (3) The following waters and areas are closed to fishing:
    (i) The Research Natural Area (RNA): Fish and fishing gear may be
possessed aboard a vessel in the RNA, provided such fish can be shown
not to have been harvested from within, removed from, or taken within
the RNA, as applicable, by being stowed in a cabin, locker, or similar
storage area prior to entering and during transit through the RNA,
provided further that such vessel is in continuous transit through the
RNA. Gear capable of harvesting fish may be aboard a vessel in the RNA,
provided such gear is not available for immediate use when entering and
during transit through the RNA and no presumption of fishing activity
shall be drawn therefrom;
    (ii) Garden Key moat;
    (iii) Within any swimming and snorkeling areas designated by buoys;
    (iv) Within 50 feet of the historic coaling docks;
    (v) Helipad areas, including the gasoline refueling dock.
    (4) The following are prohibited:
    (i) Possessing lobster within the boundaries of the park, unless
the individual took the lobster outside park waters and has the proper
State/Federal licenses and permits. Vessels with legally taken lobster
aboard which was taken outside the park may not have persons overboard
in park waters. The presence of lobster aboard a vessel in park waters,
while one or more persons from such vessel are overboard, constitutes
prima facie evidence that the lobsters were harvested from park waters
in violation of this chapter.
    (ii) Taking fish by pole spear, Hawaiian sling, rubber powered,
pneumatic, or spring loaded gun or similar device known as a speargun,
air rifles, bows and arrows, powerheads, or explosive powered guns.
Operators of vessels within the park must break down and store all
weapons described in this paragraph so that they are not available for
immediate use.
    (iii) Use of a hand held hook, gig, gaff, or snare, except that a
gaff may be used for landing a fish lawfully caught by hook and line
when consistent with all requirements in this section, including size
and species restrictions.
    (iv) Taking, possessing, or touching any ornamental tropical fish
or marine life except as expressly provided in this section.
    (v) Dragging or trawling a dip net or cast net.
    (vi) The use of nets except as provided in paragraphs (b)(3)(ii)and
(iii) of this section.
    (vii) Engaging in guide operations (fee for service), including but
not limited to fishing and diving, except in accordance with the
provisions of:
    (A) A permit, contract, or other commercial use authorization; or
    (B) Other written agreement with the United States administered
under this chapter.
    (c) Are any areas of the park closed to the public? Yes. The
following areas are closed to the public:
    (1) The elkhorn (Acropora palmata) and staghorn (Acropora
prolifera) coral patches adjacent to and including the tidal channel
southeast of Long and Bush Keys and extending to 100 yards from the
exterior edge of either patch;
    (2) Hospital and Long Keys; and
    (3) Areas that the Superintendent designates in accordance with
Sec.  1.5 and noticed to the public through one or more of the methods
listed in Sec.  1.7 of this chapter.
    (d) What restrictions apply on Loggerhead Key?
    (1) The Superintendent will, as necessary to protect park
resources, visitors, or employees:
    (i) Designate areas on Loggerhead Key open for public use;
    (ii) Establish closures or restrictions on and around the waters of
Loggerhead Key; and
    (iii) Establish conditions for docking, swimming or wading, and hiking.
    (2) The Superintendent will notify the public of designations,
closures or restrictions through one or more of the methods listed in
Sec.  1.7 of this chapter.
    (e) What restrictions apply to anchoring a vessel in the park?
    (1) Anchoring in the Research Natural Area (RNA) is prohibited.
    (2) All vessels in the RNA must use designated mooring buoys.
    (3) Anchoring between sunset and sunrise is limited to the
designated anchorage area at Garden Key.
    (4) Vessels engaged in commercial fishing or shrimping must not
anchor in any of the channels, harbors, or lagoons in the vicinity of
Garden Key, Bush Key, or the surrounding shoals outside of Bird Key
Harbor, except in cases of emergency involving danger to life or
property. (Emergencies may include, adverse weather conditions,
mechanical failure, medical emergencies, or other public safety situations.)
    (f) What vessel operations are prohibited? The following vessel
operations are prohibited:
    (1) Operating a vessel in the Fort Jefferson Moat; and

[[Page 76166]]

    (2) Operating a vessel above a flat wake speed in the Garden Key
and Bird Key Harbor areas.
    (g) What restrictions apply to discharging materials in park waters?
    (1) Discharging or depositing materials or substances of any kind
within the boundaries of the park is prohibited, except for the following:
    (i) Research Natural Area: cooling water or engine exhaust.
    (ii) Park Waters Outside the Research Natural Area:
    (A) Fish, fish parts, chumming materials, or bait used or produced
incidental to and while conducting recreational fishing activities in
the park;
    (B) Water generated by routine vessel operations (e.g., deck wash
down and graywater from sinks, consisting of only water and food particles;
    (C) Vessel cooling water, engine exhaust, or bilge water not
contaminated by oil or other substances.
    (2) The Superintendent may impose further restrictions as necessary
to protect park resources, visitors, or employees. The Superintendent
will notify the public of these requirements through one or more of the
methods listed in Sec.  1.7 of this chapter.
    (h) What are the permit requirements in the park?
    (1) A permit, issued by the Superintendent, is required for all
non-commercial vessels for which occupants are engaged in recreational
activities, including all activities in the RNA. Permitted recreational
activities include but are not limited to use of mooring buoys,
snorkeling, diving, wildlife viewing, and photography.
    (2) A permit, issued by the Superintendent, is required for a
person, group, institution, or organization conducting research
activities in the park.
    (3) Vessels transiting the park without interruption shall not
require a permit.
    (i) How are corals and other underwater natural features protected
in the park?
    (1) Taking, possessing, removing, damaging, touching, handling,
harvesting, disturbing, standing on, or otherwise injuring coral, coral
formation, seagrass or other living or dead organisms, including marine
invertebrates, live rock, and shells, is prohibited.
    (2) Vessel operators are prohibited from allowing their vessel to
strike, injure, or damage coral, seagrass, or any other immobile
organism attached to the seabed.
    (3) Vessel operators are prohibited from allowing an anchor, chain,
rope or other mooring device to be cast, dragged, or placed so as to
strike, break, abrade, or otherwise cause damage to coral formations,
sea grass, or submerged cultural resources.
    (j) What restrictions apply on or near shipwrecks?
    (1) No person may destroy, molest, remove, deface, displace, or
tamper with wrecked or abandoned vessels of any type or condition, or
any cargo pertaining thereto.
    (2) Surveying, inventorying, dismantling, or recovering any wreck
or cargo within the boundaries of the park is prohibited unless
permitted in writing by the Superintendent.
    (k) How are aircraft operations restricted?
    (1) Landing an aircraft in Dry Tortugas National Park may occur
only in accordance with a permit issued by the Superintendent under
Sec.  1.6 of this chapter.
    (2) When landing is authorized by permit, the following
requirements also apply:
    (i) Aircraft may be landed on the waters within a radius of 1 mile
of Garden Key, but a landing or takeoff may not be made within 500 feet
of Garden Key, or within 500 feet of any closed area.
    (ii) Operation of aircraft is subject to Sec.  2.17 of this
chapter, except that seaplanes may be taxied closer than 500 feet to
the Garden Dock while en route to or from the designated ramp, north of
the dock.
    (iii) Seaplanes may be moored or brought up on land only on the
designated beach, north of the Garden Key dock.

    Dated: October 2, 2006.
David M. Verhey,
Acting Assistant Secretary for Fish and Wildlife and Parks.
[FR Doc. E6-21646 Filed 12-19-06; 8:45 am]
BILLING CODE 4312-78-P 

 
 


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