98-33551. National Weather Service Modernization and Associated Restructuring  

  • [Federal Register Volume 63, Number 243 (Friday, December 18, 1998)]
    [Notices]
    [Pages 70101-70107]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 98-33551]
    
    
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    DEPARTMENT OF COMMERCE
    
    National Oceanic and Atmospheric Administration
    
    
    National Weather Service Modernization and Associated 
    Restructuring
    
    AGENCY: National Weather Service (NWS), NOAA, Commerce.
    
    ACTION: Notice of final Certification of no degradation in service for 
    the Combined Consolidation and/or Automation and Closure of 52 Weather 
    Service Offices (WSO).
    
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    SUMMARY: On November 30, 1998, the Under Secretary for Oceans and
    
    [[Page 70102]]
    
    Atmosphere approved and transmitted 21 office consolidation, 51 office 
    automation, and 52 office closure certifications to Congress. Pub. L. 
    102-567 requires such final certifications of no degradation in service 
    be published in the Federal Register. This notice is intended to 
    satisfy the requirements of Public Law 102-567.
    
    EFFECTIVE DATE: December 18, 1998.
    
    ADDRESSES: Requests for copies of the final certification packages 
    should be sent to Tom Beaver, Room 11426, 1325 East-West Highway, 
    Silver Spring, Maryland 20910.
    
    FOR FURTHER INFORMATION CONTACT: Tom Beaver at 301-713-0300 ext. 141.
    
    SUPPLEMENTARY INFORMATION: The Charleston, West Virginia, Automation 
    and Closure certifications were proposed in the January 7, 1997, 
    Federal Register, and the 60-day public comment period closed on March 
    10, 1997. No public comments were received. The following 
    certifications were proposed in the April 11, 1997, Federal Register 
    and the 60-day public comment period closed on June 10, 1997.
    
    Bridgeport, CT--Automation/Closure
    Indianapolis, IN--Automation/Closure
    Kansas City MO--Automation/Closure
    Lansing, MI--Automation/Closure
    Lincoln, NE--Automation/Closure
    Louisville, KY--Automation/Closure
    Milwaukee, WI--Automation/Closure
    Newark, NJ--Automation/Closure
    Rockford, IL--Automation/Closure
    Abilene, TX--Consolidation
    International Falls, MN--Consolidation
    Madison, WI--Consolidation/Automation/Closure
    Peoria, IL--Consolidation/Automation/Closure
    Rochester, NY--Consolidation/Automation/Closure
    Tucson, AZ--Consolidation/Automation/Closure
    
        Six public comments were received pertaining to WSO International 
    Falls, Minnesota, and two pertaining to WSO Lincoln, Nebraska. These 
    comments and the NWS response are set forth here for reference.
        Comments on International Falls: 1. A public comment from Gary 
    Davison, City Clerk, International Falls stated, ``The City had fought 
    for years to keep the weather station here, because there was a large 
    concern the forecasts would not be accurate from Duluth. The City had 
    legislators supporting them for the same reason, and we are very 
    disappointed with the final consolidation, and as expected, the 
    forecasts are not accurate at all. We have a large vacation area here 
    and it is very disappointing that the forecasts are so unreliable.''
        2. A public comment from Tom West, President, International Falls 
    Chamber of Commerce. His comments included the following, ``* * * 
    NEXRAD coverage over Int'l Falls and the north central portion of 
    Minnesota is at and beyond the extreme limit of NEXRAD capabilities. 
    NWS maps indicate that Int'l Falls is barely in the 10,000 ft. coverage 
    level and areas west of Int'l Falls and east of Lake of the Woods are 
    not covered at this level at all. Considering that much of our severe 
    weather comes from the northwest, and the large bodies of water heavily 
    used for recreational purposes are within that area, it is critical to 
    upgrade rather than degrade weather services.'' Although not relevant 
    to this consolidation certification, he also commented that the 
    Automated Surface Observing System (ASOS) was unreliable and that the 
    trained contract observers were ``at a level well below that which has 
    been provided in the past.''
        3. A public comment from Paul Nevanen, Director, Minnesota Cold 
    Weather Resource Center. His comments included much of the same 
    information about NEXRAD as stated by Tom West plus he added, ``Also, 
    during winter severe events, many significant types of weather develop 
    below the 10,000 foot threshold. This is compounded by the fact that 
    the Duluth NWS office was originally to be staffed by 10 forecasters. 
    This level of staffing has not be [sic: been] met and the current level 
    of 6 will be strained during the severe weather season. * * * This is 
    the only area east of the Rocky Mountains that is not covered at the 
    10,000 foot threshold.'' He also included comments on perceived 
    problems with ASOS which are not relevant to the consolidation 
    certification.
        4. The fourth public comment was from Jack E. Murray, Mayor, 
    International Falls. Like the previous two comments Mr. Murray 
    commented on lack of NEXRAD coverage and lack of full staffing at 
    Duluth. He added, ``I can tell you that the NWS no longer has the 
    confidence that existed in this area for so many years. * * * There 
    were a lot of promises made about the capabilities of the 
    modernization. We certainly haven't seen this effect in our area.''
        5. The Honorable Irv Anderson, State Representative, Minnesota 
    House of Representatives was the fifth commentor. Mr. Anderson's 
    comments included, ``By not providing the radar coverage level the rest 
    of the country receives (most of the country enjoys multiple radar 
    coverage) compounded by removing trained NWS personnel constitutes a 
    degradation of service. * * * The modernization process has been one 
    which seems to be filled with antagonism, when, in fact we are both 
    seeking the same goal--better, more technologically advanced weather 
    services for all our citizens. The NWS has set criteria, sited offices 
    and radar units, but has never successfully addressed the concerns of 
    the taxpayers of the northern border area of Minnesota. * * * I urge 
    the National Weather Service to work with the people of northern 
    Minnesota to correct this oversight by maintaining a 24 hour NWS manned 
    station in International Falls and siting a NEXRAD unit there.''
        6. The sixth public comment was from James A. Sanders, Acting 
    Superintendent, Voyager National Park, International Falls. He states, 
    ``Since the closure of the International Falls Weather Service Station, 
    we have not had a reliable forecast for our local conditions or the 
    approach of severe weather from the northwest. The safety of visitors, 
    residents, and employees has been directly dependent on the 
    International Falls Weather Service Station. The relocation of their 
    duties to Fargo and Duluth has drastically reduced the reliability and 
    accuracy of the local forests [sic: forecasts] we receive and increased 
    the risk to all people working and enjoying the out-of-doors in this 
    area.''
        NWS Response: NWS agrees WSR-88D coverage is about 10,000 feet in 
    northwest Minnesota. International Falls was one of the 32 areas of 
    concern that was studied by the Secretary's Report Team. The Team 
    concluded, ``* * * that there is no degradation in radar coverage in 
    the International Falls area as a result of the NWS Modernization. 
    Coverage from surrounding WSR-88Ds in Duluth and Grand Forks will 
    provide radar data for the International Falls area which is equivalent 
    or better to the current radar information available from the Duluth 
    WSR-74C and the Fargo WSR-74S.''
        The Duluth office is currently (July 1997) staffed with the 
    required forecasters and supervisors for Stage 1 operations. Five 
    additional forecasters will be added in 1998 when Duluth receives its 
    Advanced Weather Interactive Processing System (AWIPS). (AWIPS was 
    installed in January 1998 and the 5 additional forecasters were in 
    place in March 1998.)
        The Duluth office is working closely with the U.S. Park Service 
    (USPS) to improve forecasts and warning products for Voyageur's 
    National Park (VNP). The forecasts for this area have always been 
    prepared by the Duluth office and
    
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    consolidating the warning services from international Falls to the 
    Duluth office has had no impact on the forecasts. Additional effort and 
    coordination with personnel from VNP continues. On July 11, 1997, the 
    acting Meteorologist in Charge (MIC) and the Weather Coordination 
    Officer traveled to VNP and met with USPS staff. The following actions 
    were initiated.
        (a) NWS and USPS will work together to improve the reception of 
    NOAA Weather Radio in the park. Currently, the eastern portion of the 
    park is beyond the effective range of the current antenna. The USPS is 
    looking into ``gifting'' a transmitter to the NWS. This transmitter 
    would be located in VNP.
        (b) NWS will continue the lake wind study to improve forecasts in 
    the future.
        (c) The Duluth Fire Weather Forecaster will coordinate with the 
    Canada's atmospheric Environmental Scientists (AES) fire weather 
    forecaster for the region.
        (d) The Duluth office will obtain all available surface weather 
    observations in the VNP area. A new observation was initiated at the 
    Visitors Center providing information in a data-void area. (Local 
    products began including specific reference to VNP on September 2, 
    1998.)
        (e) NWS will continue to pursue the acquisition of radar data from 
    Canada's AES to supplement the data from the NEXRAD Weather Service 
    Office Duluth WSR-88D. (Duluth began receiving Canadian radar data on 
    October 2, 1998.)
        Addendium to Reply: AWIPS was installed at the future Duluth 
    Weather Forecast Office (WFO) on January 9, 1998, and is operating 
    using Build 3.0 software. Currently (February 1998), all but two senior 
    meteorologists required for modernized operations are in place at 
    Duluth. The two senior meteorologists have been selected and one is 
    scheduled to arrive on March 1 and the second will arrive at Duluth on 
    March 15, 1998, (Both were in place on March 15, 1998). Current 
    (January 1998) meteorologist staffing at Duluth consists of:
    
    1 Meteorologist in Charge,
    1 Warning Coordination Meteorologist (WCM),
    1 Science and Operations Officer (SOO),
    3 Senior Meteorologists (remaining 2 were in place on March 15, 1998),
    3 Journey Level Meteorologists, and
    2 Meteorologist Interns (MI),
    11 Meteorologists + 2 more on March 15, 1998, = total 13.
    
        The remaining staff includes:
    
    1 Data Acquisition Program Manager,
    4 Hydrometeorological Technicians,
    1 Electronic Systems Analyst,
    2 Electronics Technicians, and
    1 Administrative Assistant.
    
        Comments on Lincoln, Nebraska: Two public comments were received, 
    one from Mr. Les Myers, Jr. and a second from Mr. William E. Whitney. A 
    public comment from Les Myers, Jr., Lincoln-Lancaster County Emergency 
    Services, stated his concern over the ``closing of any National Weather 
    Service Offices.'' He said it was his opinion services had 
    ``deteriorated tremendously since the closing of the Lincoln Weather 
    Service office and the transfer of responsibility to the Omaha office 
    located in Valley, Nebraska.'' Mr. Myers listed several instances where 
    warnings had been issued without previous watches and identified 
    notification problems to emergency services by stating, ``I found that 
    long-standing policies have become unknown recently.'' He concluded 
    with, ``Service in severe weather situations has deteriorated 
    measurably to Lincoln and Lancaster County and the above information 
    testifies to that fact.''
        NWS Response: The MIC of the Omaha NEXRAD Weather Service Forecast 
    Office (NWSFO) arranged for the Emergency Managers to visit NWSFO Omaha 
    and for key members of NWSFO Omaha to visit the Lincoln-Lancaster 
    County Emergency Operations Center (EOC).
        --June 24, 1997, Carol Whitfoth, Assistant Coordinator of Lincoln-
    Lancaster County Emergency Services visited and received a briefing and 
    tour of the NWSFO Omaha facility.
        --June 30, 1997, NWSFO Omaha personnel, Steve Byrd (SOO), Brian 
    Smith (WCM), and David Theophilus (MIC) visited and received a briefing 
    and toured the EOC.
        --July 9, 1997, Les Myers, Jr., and Jason Orth from EOC visited, 
    received a briefing, and toured NWSFO Omaha.
        The results of these meetings were positive, gave each of the 
    office staffs a better appreciation for the operations at the other 
    office, and resolved the communications problems. The issuance of 
    tornado warnings for specific parts of the counties and the actual 
    dividing lines to split the counties into sections (i.e., northeast 
    Lancaster, southern Lincoln, etc.) were reviewed and agreed upon. Both 
    parties agreed to work more closely together to ensure proper and 
    timely issuance of severe weather statements to the public. Dave 
    Theophilus (MIC) asked if a member of NWSFO Omaha could be included on 
    the County Disaster Committee. EOC personnel said they would consider 
    the offer. These coordination meetings have already paid dividends. On 
    July 8, 1997, Steve Byrd (SOO) had given Mr. Myers advance notice of 
    possible non-supercell funnel clouds in Lancaster County. Mr Myers said 
    he really appreciated the call. Both agencies are satisfied the 
    previously identified problems have been resolved and the agencies are 
    working together to ensure timely relay of severe weather information.
        A second public comment from William Whitney, Assistant Director 
    State of Nebraska Emergency Management Agency (NEMA), said, ``This 
    closure plus other features of the National Weather Service (NWS) 
    modernization in Nebraska has caused a significant degradation of 
    service * * *''. Mr. Whitney described several misunderstood aspects of 
    the modernization. First, he did not understand what services would be 
    provided from the Omaha office when WSO Lincoln was ``automated at FAA 
    Weather Observation Service Level B,'' nor did he understand ``the 
    relationship between the current Valley WSO and the Omaha WFO.'' 
    Second, the modernization is not as responsive as the previous 
    organization when ``one meteorologist was responsible for forecasting 
    warning and preparedness throughout the State.'' Currently, ``we are 
    forced to coordinate statewide matters with as many as six individual 
    WSOs.'' Third, ``The Valley WSO originally was built in the Lower 
    Platte River 100 year flood plain contrary to Presidential Executive 
    Order 11988.'' Fourth, ``After several years we still cannot understand 
    why it is ``better'' to deal with four different hydrologists 
    especially when their areas of responsibility do not correspond to our 
    river basins.'' Finally, WSO Lincoln used to advise us directly when 
    severe weather was forecast or imminent and this was continued by the 
    Valley office but we are now told that NWS ``can no longer provide this 
    service.''
        NWS Response: Further discussion and communication with Mr. Whitney 
    have clarified any misunderstandings. Automation at FAA Weather 
    Observation Service Level B means the ASOS will provide the primary 
    observations and be backed up by observer trained FAA personnel at 
    Lincoln. These individuals also are responsible for augmenting the ASOS 
    observations for: Thunderstorm occurrence, tornadic activity, hail, 
    virga, volcanic ash, tower visibility, long-line runway visual range, 
    freezing drizzle, ice pellets, snow depth on ground, snow increasing 
    rapidly remark, thunderstorm/lightning location remark, and observed 
    significant weather not at station. The official name of the office
    
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    is Omaha although the office is actually located at Valley, Nebraska. 
    The Omaha office started as a WSFO, then became a NWSFO when the WSR-
    88D was declared operational and will be a WFO after AWIPS becomes 
    operational. There are six WCMs in Nebraska, each with a designated 
    area of responsibility. One WCM is responsible for coordinating 
    activities and coordinating with the NEMA. During siting of the office, 
    NWS believed construction of the Union Dike would remove the area from 
    the flood plain. Unfortunately this did not occur. However, the office 
    has been elevated three feet above the 100-year flood level. Although 
    there are four hydrologists spread among the six weather offices, two 
    hydrologists are responsible for 88 of the 93 counties in Nebraska. In 
    1997, NWSFO Sioux Falls provided information about the Missouri River 
    upstream from Gavins Point Dam that had not been available in prior 
    years. NWSFO Omaha ensured this information reached NEMA. NWS will 
    continue to work with NEMA to ensure river basin responsibility matches 
    closely with county areas of responsibility and simplify notification 
    of flood events. To be effective, communication of severe weather 
    events to emergency management agencies must be rapid and reliable. On 
    March 10, 1997, Dave Theophilus (MIC) met with Mr. Whitney and his 
    staff to discuss severe weather warning notification, and especially 
    after hours notification. They developed several ways to better 
    distribute the required information. NEMA agreed to adopt a paging 
    system and NWS personnel agreed to continue the present coordination 
    method indefinitely. NWS believes all issues have been resolved.
        The Modernization Transition Committee (MTC) at its June 25, 1997, 
    meeting concluded these actions would not result in any degradation of 
    service and endorsed the certifications.
        The following certifications were proposed in the July 14, 1997, 
    Federal Register and the 60-day public comment period closed on 
    September 12, 1997.
    
    Colorado Springs, CO--Automation/Closure
    Des Moines, IA--Automation/Closure
    Dubuque, IA--Automation/Closure
    Elkins, WV--Automation/Closure
    Las Vegas, NV--Automation/Closure
    Minneapolis, MN--Automation/Closure
    Portland, OR--Automation/Closure
    San Francisco, CA--Automation/Closure
    Spokane, WA--Automation/Closure
    Casper, WY--Consolidation/Automation/Closure
    Huron, SD--Consolidation/Automation/Closure
    Rochester, MN--Consolidation/Automation/Closure
    Waterloo, IA--Consolidation/Automation/Closure
    Yakima, WA--Consolidation/Automation/Closure
    Yuma, AZ--Closure
    
        No negative public comments were received. The MTC, at its 
    September 24, 1997, meeting, concluded these actions would not result 
    in any degradation of service and endorsed the certifications.
        The following certifications were proposed in the October 2, 1997, 
    Federal Register and the 60-day public comment period closed on 
    December 1, 1997.
    
    Abilene, TX--Automation/Closure
    Concordia, KS--Automation/Closure
    Ely, NV--Automation/Closure
    Havre, MT--Automation/Closure
    International Falls, MN--Automation/Closure
    Santa Maria, CA--Automation/Closure
    Tupelo, MS--Automation/Closure
    Valentine, NE--Automation/Closure
    Wichita Falls, TX--Automation/Closure
    Winnemucca, NV--Automation/Closure
    Alamosa, CO--Consolidation/Automation/Closure
    Alpena, MI--Consolidation/Automation/Closure
    Houghton Lake, MI--Consolidation/Automation/Closure
    Kalispell, MT--Consolidation/Automation/Closure
    Lander, WY--Consolidation/Automation/Closure
    Norfolk, NE--Consolidation/Automation/Closure
    Sault Ste Marie, MI--Consolidation/Automation/Closure
    Scottsbluff, NE--Consolidation/Automation/Closure
    Sheridan, WY--Consolidation/Automation/Closure
    St. Cloud, MN--Consolidation/Automation/Closure
    
        One negative public comment was received for each Alamosa, Alpena, 
    Houghton Lake, Kalispell, Norfolk, and St. Cloud. Fourteen public 
    comments were received for Valentine. These comments and the NWS 
    responses are set forth here for reference.
        Comment on Alamosa, Colorado: One public comment received from Mr. 
    Steven E. Vandiver, Division Engineer, Division of Water Resources, 
    Water Division Three. Mr. Vandiver's comments were mainly concerned 
    with what he felt to be a lack of complete radar coverage. His comments 
    included, ``There has historically been a NWS office at the Bergman 
    Field Airport in Alamosa * * * and service is now provided out of 
    Pueblo, Colorado. I do not feel that product is necessarily better than 
    what has historically been available from staff locally just because of 
    the modernization * * *. The ring of mountains which surround this 
    intermountain region do not allow the radars to pick up most storms. We 
    have had increasing numbers of unusual weather, including tornadoes, 
    funnel clouds, hail events, and severe windstorms. At least when 
    personnel were stationed at the NWS office here, they could give visual 
    reports of these events and worked closely with observers to give 
    timely updated data * * *. The area that is missed by the three radars, 
    even as evidenced by the coverage maps, is one of the highest 
    precipitation areas in the Rocky Mountain range. Our agency uses 
    rainfall and snowfall data to forecast resulting runoff and flooding 
    possibilities * * *. These comments are by no means a reflection of the 
    excellent staff and their efforts in the Pueblo NWS office. Bill 
    Fortune and his crew have bent over backwards to serve this area and 
    provide the best information possible. They have generated special 
    products to meet specific needs of our agency and have done an 
    excellent job.''
        NWS Response: NWS agrees the NEXRAD coverage is not complete over 
    south-central Colorado. However, when compared to the pre-modernized 
    coverage, the NEXRAD coverage from three radars in Colorado is improved 
    over the single pre-modernized radar located near Limon. Warning 
    verification statistics for severe weather show improvement. For severe 
    weather, the probability of detection improved from 4 percent pre-
    modernized, to 42 percent under modernization. The Pueblo office is 
    developing new products to meet customer needs. We are confident these 
    new products will continue to improve with the modernization.
        Comment on Alpena, Michigan: One public comment received from Mr. 
    Jeff Welch, President, Welch Aviation. Mr. Welch stated, ``I am not in 
    favor of the Alpena, MI (APN) ASOS being certified * * *. In the 
    interest of flight safety, I respectfully request that you do not 
    certify the ASOS at Alpena, MI.'' In between, he listed a series of 
    ASOS observations which resulted in a missed approach.
        NWS Response: NWS reviewed the ASOS performance with Mr. Welch. He 
    agreed the ASOS was performing accurately and all current information 
    was available on the ground-to-air (GTA) radio. NWS provided Mr. Welch 
    with more information on how to obtain weather via the GTA radio and an 
    explanation about the additional meteorological discontinuity sensor.
    
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        Comment on Houghton Lake, Michigan: One public comment was received 
    from Mr. Robert E. Howey concerning access to NEXRAD data from the 
    Grand Rapids WSR-88D. Mr. Howey stated, ``The Modernization Transition 
    Committee can rest assured that my concern was addressed by the 
    Meteorologist In Charge at the Grand Rapids office, but my concerns 
    were certainly not resolved. The Grand Rapids' web page for radar 
    coverage refers to the National Weather Service Policy and Guidelines 
    on Server Content for Internet Use. Upon deciphering the reference, we 
    users discover that our only access to NEXRAD weather radar coverage of 
    our country is through something called UCAR. Whatever or wherever that 
    is, it is slower and more prone to interruption than if I could be 
    accessing the splendid radar information being collected and 
    distributed by Grand Rapids station, which incidentally, displays a 
    pleasingly high degree of excellence.''
        NWS Response: The NWS advised Mr. Hawley distribution of NEXRAD 
    data was available through any of four NEXRAD Information Dissemination 
    Service (NIDS) vendors.
        Comment on Kalispell, MT: One public comment was received from 
    Monte M. Eliason, Airport Manager, Flathead Municipal Airport 
    Authority. Mr. Eliason's comments included, ``* * * As we have 
    previously documented and stated, and ASOS cannot replace a manned 
    weather service office without serious degradation of service. The 
    government is wrong by any measure in a finding otherwise * * *. The 
    terminal area reports by ASOS, frequently lack the timely accuracy and 
    broader picture of approaching weather such as thunderstorms, freezing 
    rain, or area mountaintop obscuration.''
        NWS Response: NWS reviewed ASOS performance at Kalispell and 
    determined it met specified standards. During the last year there have 
    been 35 ASOS outages, and average repair times have been 15 minutes. 
    Both the freezing rain sensor and the lightning sensor are operational. 
    Video cameras were installed in June 1997 to visually depict local 
    conditions, including the mountain obscurations. Forecasters have 
    access to the video camera displays, and the images are also available 
    on the Internet. Airport service level classifications were determined 
    by the FAA. Kalispell was designated as a Service Level D site meaning 
    it can operate with a stand-alone ASOS.
        In the summer of 1997, the Aircraft Owners and Pilots Association 
    Air Safety Foundation (ASF) requested information from a random 
    selection of pilots living in proximity to 25 service level D ASOS 
    sites. The data collection was to determine pilot acceptance and use of 
    ASOS. Requests were mailed to 10,000 pilots, and 1,027 responses were 
    received.
        Final conclusions of the ASF study, endorsed by the MTC, were that 
    ASOS is representative and meets the needs of the identified service 
    level D sites without degrading services.
        Comment on Norfolk, Nebraska: One public comment was received from 
    the Norfolk Airport Authority and was signed by Doris A. Kingsbury, 
    Chairman; Gerald Arkfeld, Vice Chairman; Robert L. Carlisle, Secretary; 
    Daniel E. Geary, Member; and Charles W. Balsiger, Member. They objected 
    to the proposed automation. Their comments included, ``The Norfolk 
    Airport Authority strongly objects to the National Weather Service 
    proposal to certify the automation of surface observations at Karl 
    Stefan Memorial Airport, Norfolk, NE * * *
        1. The system still makes significant errors regarding ceiling and 
    visibility which must be corrected by the contract observer.
        2. The system does not detect and reliably report freezing 
    precipitation.
        3. The system does not reliably report thunderstorms.
        4. The system cannot detect and report rapidly changing local 
    adverse weather conditions.
        5. No provision has been identified for backup observations should 
    the system fail, which would render the airport unusable to FAR Part 
    121 and 135 air carriers.
        We fail to see how the system as it presently exists can be 
    considered ``equal or better service'' and we further fail to see how 
    this can be considered a safety enhancement to aviation. The previous 
    system of human observers had no problem dealing with weather 
    observations especially as regards rapidly changing weather events. 
    From an aviation standpoint, the present system is poor at best. The 
    augmentation of the system by contract observers makes the system 
    acceptable, since there is a good chance that between the system and 
    the contract observer the reported weather will be fairly accurate.''
        NWS Response: In the summer of 1997, the ASF requested information 
    from a random selection of pilots living in proximity to 25 service 
    level D ASOS sites. The data collection was to determine pilot 
    acceptance and use of ASOS. Requests were mailed to 10,000 pilots, and 
    1,027 responses were received.
        Final conclusions of the ASF study, endorsed by the MTC, were that 
    ASOS is representative and meets the needs of the identified service 
    level D sites without degrading services.
        Comment on St. Cloud, Minnesota: One public comment was received 
    from Brian D. Ryks, A.A.E., Airport Manager, St. Cloud Regional 
    Airport. Mr. Ryks stated, ``Although the ASOS has been fairly reliable 
    during good weather conditions, there have been numerous occasions when 
    outages have occurred or data recorded by the System has not been 
    accurate during adverse weather. Fortunately, during these periods, 
    augmentation from weather observers stationed at the Airport have 
    prevented a loss of air service for our users * * * it is critical we 
    maintain an augmented system consisting of both observers and the ASOS. 
    An augmented system will ensure the highest degree of safety and 
    reliability available to the traveling public and users of the airport 
    * * * .''
        NWS Response: NWS reviewed ASOS performance at St. Cloud and 
    determined it met specified standards. Airport service level 
    classifications were determined by the FAA. St. Cloud was designated as 
    a Service Level D site which means it can operate with a stand alone-
    ASOS.
        In the summer of 1997, the ASF requested information from a random 
    selection of pilots living in proximity to 25 service level D ASOS 
    sites. The data collection was to determine pilot acceptance and use of 
    ASOS. Requests were mailed to 10,000 pilots, and 1,027 responses were 
    received.
        Final conclusions of the ASF study, endorsed by the MTC, were that 
    ASOS is representative and meets the needs of the identified service 
    level D sites without degrading services.
        Comments on Valentine, Nebraska: Fourteen public comments were 
    received concerning the automation certification of WSO Valentine, 
    Nebraska. Eleven of the letters were exactly the same and the comments 
    from those letters included, ``Due to government cut backs in spending, 
    the Federal Aviation Administration (FAA), and the National Weather 
    Service (NWS), has decided not to man Automated Surface Observing 
    Systems (ASOS) stations around the U.S. except those with towers * * * 
    . Augmentation of the Valentine ASOS station has proven to be essential 
    to pilots flying into the area. People who have landed at the Valentine 
    airport have expressed their appreciation to the airport officials for 
    having a manned sight at Miller Field due to the isolation of the area 
    * * * . There have been instances of the ASOS reporting total overcast 
    skies and
    
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    low landing minimums, deterring flights from landing, when there were 
    only scattered skies that happened to be over the sensors, or 
    reversely, not reporting very low landing minimums causing aircraft to 
    fly into dangerous situations. Now, not only do we have to worry about 
    such inaccuracies in landing minimums, but the newly installed, 
    untested, Thunderstorm sensor is a concern * * * . Many doctors who 
    serve this area fly into Valentine to provide much needed health care 
    and training * * * . What cut in spending is so imperative that it 
    should jeopardize peoples lives * * * .'' One letter included 14 
    signatures which in part stated, ``The community of Valentine protests 
    the full automation of service which the FAA and NWS feel can be 
    observed from North Platte, Ne. will not work.''
        A public comment from Curtis Price, Jr., President, C. Price & 
    Associates stated, ``C. Price & Associates is the current contractor 
    for the weather observation support services at Miller Field, Valentine 
    Nebraska. We would like to register a protest against the proposed 
    Recommendation for Automation and Closure of this site * * * it has 
    been our experience that the current method of taking readings is far 
    superior to the proposed ASOS method. We have documented several 
    instances at other sites, where the ASOS system has been inadequate * * 
    *.'' Finally, a public comment from Dean Jacobs, Executive Director, 
    Valentine Chamber of Commerce stated, ``* * * We consider augmentation 
    of the Valentine ASOS station essential * * *. The people of this area 
    need and deserve the most accurate weather reports for their safety and 
    the safety of their passengers. The very reason for PL 102-567 (the 
    weather service modernization bill), which protects weather stations 
    form degradation [sic: from degradation] of service * * *.''
        NWS Response: NWS reviewed ASOS performance at Valentine and 
    determined it met specified standards. The thunderstorm sensor is 
    operational. Airport service level classifications were determined by 
    the FAA. Valentine was designated as a service level D site meaning it 
    can operate with a stand-alone ASOS.
        In the summer of 1997, the (ASF) requested information from a 
    random selection of pilots living in proximity to 25 service level D 
    ASOS sites. The data collection was to determine pilot acceptance and 
    use of ASOS. Requests were mailed to 10,000 pilots, and 1,027 responses 
    were received.
        Final conclusions of the ASF study, endorsed by the MTC, were that 
    ASOS is representative and meets the needs of the identified service 
    level D sites without degrading services.
        The MTC, at its December 10, 1997, meeting, concluded these actions 
    would not result in any degradation of service and endorsed the 
    certifications.
        The Astoria, Oregon, and Lexington, Kentucky, Automation and 
    Closure Certifications were proposed in the January 9, 1998, Federal 
    Register, and the 60-day public comment period closed on March 10, 
    1998. No public comments were received for Lexington. The MTC, at its 
    March 18, 1998, meeting, concluded these actions would not result in 
    any degradation of service and endorsed the certifications. Three 
    public comments were received for Astoria. These comments and the NWS 
    response are set forth here for reference.
        Comments on Astoria, OR: Three public comments were applicable to 
    the proposed Astoria automation and closure certification.
        First, a letter dated April 24, 1997, was received from the 
    Columbia River Pilots. The letter states, ``The proposed closure of the 
    Astoria weather station will degrade the quality of available weather 
    information and hamper our ability to provide safe and timely service 
    to vessels calling in the Columbia River at both Oregon and Washington 
    ports.''
        Second, a letter dated June 3, 1997, was received from 
    Representative Elizabeth Furse stating, ``Enclosed is a copy of Senate 
    Concurrent Resolution 8, recently adopted by both the Senate and the 
    House of the Oregon legislature which requests that closure proceedings 
    of the station be reversed.''
        Third, a letter dated January 29, 1998, signed by Ron Larsen, 
    Airport manager; George Waer, Columbia River Bar Pilots; and John 
    Raichl, Clatsop County Sheriff, commented on their concerns about the 
    ASOS. They stated, ``The Portland office has been helpful and 
    concerned. They established a working relationship with the Columbia 
    River Bar Pilots that seems to meet the Bar Pilots needs. In addition 
    they placed remote cameras on the airport to help observe actual 
    conditions that ASOS may or may not report. However, ASOS is still 
    reporting conditions that are not accurate over the entire airport 
    caused by the lack of remote sensors.''
        NWS Response: At a March 18, 1998, meeting, the NWS advised the MTC 
    it had worked with the Bar Pilots and all issues were resolved. 
    Additional communications links to the Portland office have been 
    established with the Astoria community. NWS reported ASOS system 
    limitations will not permit the addition of a second set of 
    discontinuity sensors as requested by the Astoria airport manager. The 
    MTC directed NWS to compare the number of surface observation remarks 
    for a 1-year period before ASOS was installed to the number of remarks 
    for a 1-year period after ASOS and its discontinuity sensor was 
    installed.
        At the June 18, 1998, meeting, NWS presented results of the 
    comparisons to the MTC. The comparison showed more remarks have been 
    reported with ASOS than prior to ASOS. The comparison also showed the 
    ASOS ceiling discontinuity sensor is located in the proper quadrant to 
    detect lower ceilings. However, the visibility discontinuity sensor 
    would be more effective if moved to the northeast quadrant. The ASOS 
    permits splitting of the ceiling and visibility discontinuity sensors. 
    This option was offered to the airport manager, but he prefers to keep 
    both discontinuity sensors together in the northwest quadrant. After 
    reviewing the before and after comparison, the MTC concluded there was 
    no safety impact to aviation operations at the airfield, and the 
    current ASOS and discontinuity sensor provided an accurate observation 
    for the airfield.
        The Honolulu Automation and Closure certifications were proposed in 
    the April 9, 1998, Federal Register, and the 60-day public comment 
    period closed on June 8, 1998. No public comments were received for 
    Honolulu. The MTC, at its June 18, 1998, meeting concluded these 
    Astoria and Honolulu actions would not result in any degradation of 
    service and endorsed the certifications.
        After consideration of the public comments received and the MTC 
    endorsements, the Under Secretary for Oceans and Atmosphere approved 
    these 52 combined consolidation and/or automation and closure 
    certifications finding there would not be any degradation of service. 
    The Under Secretary transmitted a list of the approved certifications 
    to Congress on November 30, 1998. Certification approval authority was 
    delegated from the Secretary of Commerce to the Under Secretary in June 
    1996. The NWS is now completing the certification requirements of 
    Public Law 102-567 by publishing this notice of the final consolidation 
    and/or automation and closure certifications in the Federal Register.
    
    
    [[Page 70107]]
    
    
        Dated: December 14, 1998.
    John J. Kelly, Jr.,
    Assistant Administrator for Weather Services.
    [FR Doc. 98-33551 Filed 12-17-98; 8:45 am]
    BILLING CODE 3510-KE*-M
    
    
    

Document Information

Effective Date:
12/18/1998
Published:
12/18/1998
Department:
National Oceanic and Atmospheric Administration
Entry Type:
Notice
Action:
Notice of final Certification of no degradation in service for the Combined Consolidation and/or Automation and Closure of 52 Weather Service Offices (WSO).
Document Number:
98-33551
Dates:
December 18, 1998.
Pages:
70101-70107 (7 pages)
PDF File:
98-33551.pdf