96-32836. Prevention of Collisions Between Commercial and Recreational Vessels in the South Passage of the Lake Erie Western Basin  

  • [Federal Register Volume 61, Number 249 (Thursday, December 26, 1996)]
    [Proposed Rules]
    [Pages 67971-67975]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 96-32836]
    
    
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    DEPARTMENT OF TRANSPORTATION
    33 CFR Part 165
    
    [CGD0-96-017]
    Rin AE2115-AE46
    
    
    Prevention of Collisions Between Commercial and Recreational 
    Vessels in the South Passage of the Lake Erie Western Basin
    
    AGENCY: Coast Guard, DOT.
    
    ACTION: Advance notice of proposed rulemaking.
    
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    SUMMARY: The Coast Guard is considering a number of options for 
    improvement of navigational safety in an area known as the ``South 
    Passage'' in the Western Basin of Lake Erie. This is a high traffic 
    area used by both commercial and recreational vessels. Collisions 
    between commercial and recreational vessels in this area, with loss of 
    lives in one case, have given the Coast Guard cause for concern about 
    the long-term safety of the South Passage. The Coast Guard therefore 
    requests public comment on the appropriateness and practicality of 
    various options, some of which include possible regulatory action, to 
    better protect both commercial and recreational vessels from risk of 
    collision in this area. The Coast Guard is providing an advance notice 
    of proposed rulemaking because comments on a range of various options 
    are desired.
    
    DATES: Comments must be received on or before February 24, 1997.
    
    ADDRESSES: Comments and supporting materials should be mailed or 
    delivered to Lieutenant Commander Rhae Giacoma, Assistant Chief, Marine 
    Safety Analysis and Policy Branch, Ninth Coast Guard District, Room 
    2069, 1240 E. Ninth Coast Guard District, Room 2069, 1240 E. Ninth 
    Street, Cleveland, Ohio, 44199-2060. Please reference the name of the 
    proposal and the docket number in the heading above. If you wish 
    receipt of your mailed comments to be acknowledged, please include a 
    stamped self-addressed envelope or postcard for that purpose. Comments 
    and materials received will be available for public inspection at the 
    above location from 9:00 a.m. to 3:00 p.m. Monday through Friday.
    
    FOR FURTHER INFORMATION CONTACT:
     Lieutenant Commander Rhae Giacoma, Assistant Chief, Marine Safety 
    Analysis and Policy Branch, Ninth Coast Guard District, Room 2069, 1240 
    E. Ninth Street, Cleveland, Ohio, 44199-2060, (216) 522-3994.
    
    SUPPLEMENTARY INFORMATION:
    
    Request for Comments.
    
        The Coast Guard Strongly encourages all interested parties to 
    participate in this consideration of possible rulemaking by submitting 
    written comments which may consist of data, views, arguments, or other 
    proposals for or against the various options being considered. The 
    Coast Guard is presenting options for a regulated navigation area as 
    one approach for resolving the apparent waterway user conflict in the 
    South Passage area of Western Lake Erie. Proposals for non-regulatory 
    alternatives which would serve the same purpose of enhancing vessel 
    safety in the area are also desired. Although all comments will be 
    considered, interested parties are requested to specifically identify 
    which of the detailed options they are commenting on, the basis for 
    their objection to proposals they dislike, and what alternative option 
    (including the option of no action) they do support.
        The Coast Guard does not currently plan to have a public hearing. 
    The Coast Guard sponsored a number of informal workshops which were 
    open to all interested parties and which provided an informative airing 
    of views. At this point, the Coast Guard is more in need of specific, 
    written, and concrete comments. However, further consideration will be 
    given to holding a formal public hearing if one is requested. Such a 
    request should indicate how a public hearing would contribute 
    substantial information or views which cannot be received in written 
    form. If it appears that a public hearing would substantially 
    contribute to this rulemaking, the Coast Guard will announce such a 
    hearing by a later notice in the Federal Register. The Coast Guard will 
    consider all comments received before the closing date indicated above, 
    and may amend or revoke this proposal in response to such comments.
    
    Background and Purpose
    
    I. The South Passage
    
        The South Passage is an area of water on the United States side of 
    the Western Basin of Lake Erie, roughly 9 by 4 statute miles, bounded 
    by Kelleys Island and South Bass Island on the north, and by Catawba 
    Island and Point Marblehead on the south. The South Passage is one of 
    two traditional, natural passages through the islands and shallows 
    separating the Western and Central Basins of Lake Erie, the other being 
    the Pelee Passage to the north on the Canadian side of the Western 
    basin. At one time, between 1952 and 1974, it appears that the South 
    Passage was a regular route for large commercial carriers. Since that 
    time, Pelee Passage to the north in Canadian waters has become the 
    preferred route for large commercial vessels transiting through the 
    Western End of Lake Erie. There is still a wide array of both 
    commercial and recreational traffic using some parts of the South 
    Passage, including some large commercial carriers transiting in and out 
    of the Marblehead area on the east side, barges and tow boats in 
    transit both through and across the passage, regular ferry boats 
    transiting across the passage, commercial excursion vessels, transiting 
    recreational crafts, and recreational fishing vessels. In additional to 
    being a natural passage in and out of the basin and a natural area of 
    transit between the mainland and the islands, the South Passage is also 
    a desirable fishing ground where a relatively heavy concentration of 
    small recreational fishing vessels anchor or drift.
    
    II. Accidents in the South Passage
    
        Three collisions between commercial barges in tow and small 
    recreational craft have occurred in the South Passage
    
    [[Page 67972]]
    
    during the last five years, one of which resulted in two deaths. (1) On 
    May 1, 1992, a tug with a barge in tow collided with a recreational 
    bass boat in the east end of the South Passage, off the Marblehead and 
    Lakeside area. The bass boat was anchored, the occupants engaged in 
    fishing. There was minor injury to one of the occupants of the bass 
    boat. The Coast Guard took administrative actions against the license 
    of the master of the tug. (2) On October 1, 1994, a tug and barge 
    collided with a recreational motorboat in the west end of the South 
    Passage, slightly to the east of the channel marked by the Starve 
    Island Reef Red #2 buoy and the Scott Point shoal Green #1 buoy. The 
    motorboat was anchored or dragging anchor (until shortly before the 
    collision, when the occupants apparently attempted to raise anchor), 
    the occupants engaged in fishing. Two of the four occupants of the 
    motorboat died by drowning after jumping from the boat just before 
    collision, and the other two occupants suffered minor injuries. The 
    State of Ohio convicted the master of the tug of a misdemeanor and the 
    Coast Guard has filed charges against the licenses of both the master 
    and the operator of the tug. (The licensing action is still in 
    adjudication.) the Coast Guard also required the owners of the tug and 
    barge to make structural changes improving the visibility from the 
    bridge. (3) On June 13, 1995,a tug with a crane barge in tow collided 
    with a recreational motorboat in the east end of the South Passage, 
    approximately one mile northeast of Marblehead light. The one occupant 
    of the motorboat was ``drift fishing.'' No one was injured in the 
    collision. The State of Ohio convicted the operator of the motorboat of 
    a minor misdemeanor and the Coast Guard took administrative action 
    against the license of the operator of the tug. The Coast Guard also 
    required the owners of the crane barge to insure that visibility was 
    not obstructed by the crane.
        Although this is not a large number of accidents over a five-year 
    period, the similarity of the events and the inherent dangerousness of 
    collisions between barges and small boats, tragically demonstrated by 
    the two deaths which have occurred, prompted the Coast Guard to conduct 
    a special study of the South Passage in order to determine if there is 
    a systemic problem which should be addressed. The Coast Guard and the 
    State of Ohio have used administrative and criminal procedures to hold 
    individuals (both commercial and recreational vessel operators) 
    accountable in these cases. Although fault may be appropriately 
    assigned to individuals for their failure to keep a proper lookout and 
    exercise due care to avoid collisions in accordance with the principles 
    of good seamanship, this does not negate the possibility that there are 
    systemic problems creating an unusual risk of collision. The purpose of 
    this study is to address those systemic problems. All three collisions 
    occurred between tug/barge combinations and boats engaged in fishing. 
    In one case the recreational boat was anchored, in another it was 
    clearly drifting, and in one case it is uncertain whether it was at 
    anchor or adrift at the time. In two cases it does not appear that the 
    recreational boats were in clearly defined channels. In one case, the 
    1994 case which resulted in the deaths, the collision occurred in a 
    channel clearly marked by red and green lateral buoys (Reef Red #2 buoy 
    and Scott Point Shoal Green #1 buoy), although it is a matter very much 
    in controversy as to whether or not this constituted a ``narrow 
    channel'' as that term is used in the Inland Navigational Rules Act of 
    1980 (33 U.S.C. Secs.  2001 et seq., especially Rule 9, 33 U.S.C. 
    Sec. 2009). Whether or not that was a ``narrow channel'' at the time 
    (which is not a matter to be determined in this forum), the detailed 
    investigation of that case conducted by the Coast Guard did provide 
    some indication of a systemic conflict between recreational and 
    commercial traffic in the South Passage. As the tug and barge 
    approached the west end of the passage, they navigated between two 
    large concentrations of boats north and south of the west end. As they 
    actually entered the navigational channel market by Starve Island Reef 
    Red #2 Buoy on the north and Scott Point Shoal Green #1 Buoy on the 
    South, they found themselves between two packs of 15 or so boats, one 
    clustered around each of the buoys. The recreational vessel that they 
    hit was on the northeast side of the pack around the southern buoy, 
    apparently quite close to the middle of the navigational channel. Given 
    the inherent limits on the maneuverability of barges in tow, it appears 
    that this was a dangerous situation in the making.
    
    III. Consultation With the Marine Community
    
        The Coast Guard solicited information and opinion from a variety of 
    groups in order to obtain a better appreciation of the South Passage 
    and develop ideas for possible improvements in navigational safety. 
    This was an effort to fulfill the spirit of the President's 
    ``Regulatory Reinvention Initiative'' (Presidential Memorandum of March 
    4, 1995), in which President Clinton urged Federal agencies to work 
    with the local people affected by regulatory actions in order to 
    achieve a consensus on reasonable solutions whenever possible. Those 
    invited to provide input on the South Passage included tow boat 
    operators, commercial carriers, commercial passenger vessel operators, 
    recreational boating and fishing associations, a professional mariner 
    association and individual mariners, along with representatives of the 
    Ohio Department of Natural Resources, the City of Toledo, and the U.S. 
    Coast Guard Auxiliary. Five informal workgroup sessions were held. The 
    discussions were informal, wide-ranging, sometimes adversarial, and 
    less informative than hoped. Many of the issues discussed were highly 
    controversial, and there was little consensus on any point except the 
    importance of continuing and enhancing existing programs for education 
    of recreational boaters. There was controversy about whether or not 
    there is a particular problem with conflicts between recreational and 
    commercial vessels in the South Passage, with very different, sometimes 
    inconsistent statements being made during the course of the informal 
    discussions. There clearly are a large number of small boats anchored 
    or drifting in various areas around the passage during summer months. 
    However, some participants argued that there is no real problem with 
    ``congestion'' or conflicting use as such. Other participants in the 
    discussions described some dangerous situations, including near-misses 
    between recreational and commercial vessels. There were comments about 
    the dangerousness of recreational boaters anchoring or drifting in 
    commercial channels, and, conversely, about the dangerousness of barge 
    operators who seem to expect boats to give way as a matter of course. 
    Some participants also expressed concern about boats sometimes blocking 
    the approaches to the ferries running across the passage.
        Because the characterization of the passage as ``congested'' has 
    been controversial (the President of the Great Lakes Sport Fishing 
    Council has found this term particularly objectionable), several points 
    about the use of that term should be clarified. First, it is a relative 
    matter, having more to do with particular, localized concentrations of 
    boats in navigational channels rather than a question of overall 
    density in the passage. Clusters of ten to twenty boats gathered off 
    points or gathered around a buoy, as is common even on weekdays during 
    the summer in the passage, can constitute ``congestion'' even though
    
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    there may be no more than a few hundred boats out in the passage in 
    total and there are large sections of the passage which are clear that 
    day. Second, ``congestion'' is very relative to the point of view of 
    the mariner in question. The same situation may appear completely 
    uncongested to a recreational boater with freedom to maneuver in any of 
    the large empty spaces of water remaining outside the clusters, and yet 
    appear most definitely congested to the commercial operator forced to 
    pass very close to one of those clusters because of limited scope for 
    maneuver. Finally, the use of the term ``congestion'' by 
    representatives of the Coast Guard in the workgroup discussions should 
    not have been interpreted as expressing any idea that the South Passage 
    has too much recreational traffic. To the contrary, the Coast Guard 
    views the South Passage as an extremely valuable resource, important to 
    recreation and tourism, which should be fully enjoyed by all. Any 
    adjustments to navigational practices which may help protect the safety 
    of recreational boaters using the passage should serve to encourage 
    rather than discourage continued and expanded use of the passage for 
    fishing and other recreation.
        There was considerable dispute about the relative fault between 
    recreational and commercial operators, and an intense controversy about 
    whether the channel between the two buoys which was the site of the 
    fatalities on October 1, 1994 was or was not a ``narrow channel'' 
    subject to Rule 9 of the Inland Navigational Rules Act (which requires 
    a small vessel to avoid impeding a vessel which cannot safely navigate 
    outside the narrow channel). And there were widely differing opinions 
    about the appropriateness of area-specific navigational regulations, 
    some arguing that a few clear, geographic delineations would greatly 
    enhance safety, others arguing that any regulations beyond the general 
    navigational rules are unnecessary.
        Although the workgroup discussions certainly assisted the Coast 
    Guard in delineating issues, it is important for the Coast Guard to now 
    be able to consider written and attributable comments on specific 
    proposals. Also, it is important for the Coast Guard to make sure that 
    any decision be based on comments from all concerned parties, solicited 
    on an equal basis, whether or not they had an opportunity to personally 
    participate in the workgroup sessions.
    
    IV. Working Propositions
    
        In framing the regulatory options presented here, the Coast Guard 
    is proceeding on the basis of the following propositions, which are 
    subject to dispute:
        1. There is an obvious danger created when small boats are at 
    anchor or adrift in an area used by a large commercial vessel, 
    particularly if the occupants of the small boats are occupied in 
    fishing and the commercial vessels are restricted in their visibility 
    and maneuverability.
        2. Recreational and commercial vessels have a right to make use of 
    the South Passage, neither taking absolute priority over the other, but 
    some regulatory adjustment may be necessary in order to insure than 
    both can do so safety. Although Pelee Passage is now the primary route 
    for large commercial traffic transiting Lake Erie, it is important not 
    to lose the availability of the South Passage (the only passage in 
    United States waters) for commercial traffic. At the same time, 
    recreational use of the islands and fishing grounds in the South 
    Passage area is likely to increase, and should not be impeded.
        3. Any local rules promulgated for a particular area such as the 
    South Passage should be consistent with the general statutory rules for 
    navigation. Those general statutory rules obligate one vessel not to 
    impede the passage of another. Section 15 of the Rivers and Harbors Act 
    (33 U.S.C. 409) provides that ``It shall not be lawful to tie up or 
    anchor vessels * * * in navigable channels in such a manner as to 
    prevent or obstruct the passage of other vessels. * * *'' and Rule 9(b) 
    of the Inland Navigational Rules (33 U.S.C. Sec. 2009(b)) provides that 
    ``A vessel of less than 20 meters in length or a sailing vessel shall 
    not impede the passage of a vessel than can safely navigate only within 
    a narrow channel or fairway.''
        4. The general statutory provisions quoted above do not provide 
    unambiguous guidance in some of these dangerous cases involving 
    commercial and recreational vessels. It is a case by case determination 
    (and certainly a matter of dispute, as evidenced by the discussions 
    which took place in the workgroups) as to whether a particular vessel 
    at anchor is obstructing another or whether any one of dozens of 
    identifiable channels in the South Passage are ``narrow channels.'' It 
    is difficult for an operator of a small recreational boat to know, in 
    fact, whether or not the small vessel is obstructing a large commercial 
    vessel which may or may not be restricted in its ability to maneuver. 
    The recreational operators are usually not familiar with the drafts, 
    stopping distances, and visibility limitations of large commercial 
    vessels, particularly barges in tow. A small boat which is not an 
    obstruction one day when there are few other vessels in a wide channel 
    may well be an obstruction another day when the whole channel is more 
    congested. In the absence of radio communications among the 
    recreational vessels, and between the recreational and commercial 
    vessels. it is difficult for the operators of the recreational vessels 
    to know if they are in violation of these statutory provisions.
        5. Other governmental actions of a more general and comprehensive 
    nature may be of relevance in addressing this sort of problem on a 
    nationwide basis. Those include (as suggested during the workgroup 
    discussions), amendments to the Inland Navigational Rules Act of 1980, 
    more extensive Coast Guard regulation of towing vessels (including 
    visibility standards on all sizes of barge and tow combinations), new 
    equipment requirements for recreational boats (such as radar 
    reflectors, anchor balls, or radios), and licensing of recreational 
    vessel operators. However, these proposals are outside the authority of 
    the Commander of the Ninth Coast Guard District and cannot be expected 
    to provide any improvement in the navigational safety in the South 
    Passage in the foreseeable future. The Ninth District has already 
    specified visibility requirements for some tug and barge combinations 
    subject to Coast Guard inspection (including the one involved in the 
    fatal collision on October 1, 1994). The Commander of the Ninth Coast 
    Guard District is certainly prepared to submit a proposal for changes 
    in the navigation rules to the Commandant of the Coast Guard if it 
    appears that such a proposal would enhance safety and be appropriate on 
    a nationwide basis. However, it is not apparent what change in the 
    language of Rule 9 would as a practical matter better define a ``narrow 
    channel'' in all the circumstances to which that would apply around the 
    nation. At this point (although any written proposal will be read with 
    interest), it seems more useful to address particular problem areas on 
    a case by case basis, taking into account the particular configuration 
    of the waterway and the traffic in the local area.
    
    V. Options Under Consideration
    
        The Coast Guard invites comments on any or all of the following 
    options, and requests that commentors specifically identify the options 
    they are arguing for or against (although comments making arguments in 
    favor of options not listed here will also be considered):
        Option 1. Do nothing. The existing accident rate would be deemed
    
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    unfortunate but tolerable, perhaps unavoidable. It may be noted that 
    there have been no similar accidents during the 1993 or 1996 navigation 
    seasons, although it should also be noted that neither the Coast Guard 
    nor the State of Ohio has a system for recording and investigating 
    near-misses which may occur on a more frequent basis. On the other 
    hand, it may be argued that the congestion and dangerousness of the 
    system is only likely to increase in the future.
        Option 2. Emphasize enforcement and education. Make no changes in 
    the South Passage navigational system, but put more resources into 
    enforcement and educational efforts. The Coast Guard would continue 
    with existing enforcement and education in cooperation with the Ohio 
    Department of Natural Resources, the Coast Guard Auxiliary, the Power 
    Squadron, boating groups, and maritime industry, as resources allow. 
    Particular focus can be put on insuring high standards of 
    professionalism among licensed commercial operators and educating 
    recreational boaters about the dangers inherent in anchoring or 
    drifting in commercial channels. However, Coast Guard resources 
    available for more on the water enforcement or more educational 
    outreach are limited, perhaps declining. Moreover, while operators can 
    be told of the danger and reminded of their obligation to always 
    maintain a good lookout, it is not clear how either enforcement or 
    education can be effective in convincing small boats not to anchor or 
    drift in front of channels needed by commercial vessels in the absence 
    of some unambiguous legal rule prohibiting it.
        Option 3. Make nonregulatory changes to the navigational system in 
    the South Passage. The Coast Guard could request that the National 
    Oceanic and Atmospheric Administration add some special delineations 
    and notes to the nautical charts, marking the areas most commonly used 
    by commercial vessels and warning small vessels that these areas may be 
    dangerous for anchoring or drifting. (The areas delineated in the text 
    of the regulatory alternatives proposed here may be taken as examples 
    of lanes or danger areas which could also be delineated on a 
    nonregulatory basis.) However, this may only create more confusion. 
    Would such a marking create a ``narrow channel'' under Rule 9 or an 
    ``obstruction'' under the Rivers and Harbors Act? Would a boater be 
    guilty of ``negligent operation'' under Federal and State law for 
    failing to heed the ``nonregulatory'' warning? Would it depend on 
    whether or not a commercial vessel was operating in the warning area at 
    the time? Special warning buoys could also be established by the Coast 
    Guard. However, this would tend to create the same confusion about 
    legal effect, and would be a drain on limited resources available to 
    maintain aids to navigation in the Great Lakes.
        Option 4. Establish regulated navigation areas in the South 
    Passage. There is a wide variety of special rules which could be 
    established to help avoid collisions. The regulatory options currently 
    under consideration include the following permutations (and others will 
    be considered if proposed by commentors). All mariners are invited to 
    comment on the likely effectiveness of these proposals in protecting 
    against the danger of collision. Operators of recreational boats, 
    fishers, and others who have an economic interest in recreational or 
    fishing activity in the area, are specifically requested to comment on 
    any cost associated with these limited restrictions on anchoring and 
    drifting.
        Option 4-A. Designated no-anchor and no-drift lanes. These are 
    narrow lanes for the routes most heavily used by commercial traffic, 
    including (1) the channel between Starve Island Reef and Scott Point 
    Shoal, (2) the approach to the commercial docks on the west side of 
    Kelleys Island, (3) the approach to the commercial docks at Marblehead, 
    and (4) the established ferry routes across the passage, between South 
    Bass Island and Scott Point, and between the south side of Kelleys 
    Island and Marblehead. Within these lanes, vessels of any size would be 
    prohibited from either anchoring or drifting, but would be allowed to 
    navigate in any manner otherwise allowed by the navigation rules as 
    long as not anchored or adrift. A permutation on the theme might be to 
    provide that a vessel would not be prohibited from anchoring or 
    drifting in these lanes if the operator of the vessel is monitoring a 
    marine radio on channel 16 so as to be available to be effectively 
    hailed by an approaching commercial vessel.
        This is the most restrictive regulatory option being considered. 
    Under this option, the area marked off for no anchoring or drifting 
    would be approximately 13% of the total area of the South Passage. 
    Other forms of navigation would not be restricted. It may be noted that 
    the proposed lanes are near to, but not at the specific points where 
    the three collisions discussed above occurred. The purpose of the lanes 
    is to provide the most logical routing possible, to and from points of 
    commercial activity, which are as far as possible away from the 
    shallower areas favored for fishing.
        Draft Regulatory Text, Option 4-A:
    
    
    Sec. 165.905  South Passage of Western Lake Erie--regulated navigation 
    areas.
    
        (a) Locations. The following navigational lanes in the South 
    Passage of Western Lake Erie are regulated navigation areas:
        (1) South Passage Transit Lane: an area 150 yards to either side 
    of a line (approximately 8\3/4\ statute miles long) running 
    northwesterly (302 deg. T) from a point at 41 deg.33'30'' N, 
    82 deg.42'43'' W on the east end of South Passage to a point at 
    41 deg.37'30'' N, 82 deg.51'16'' W on the west end of South Passage.
        (2) Kellstone Lane: an area 150 yards to either side of a line 
    (approximately 2\7/8\ statute miles long) running southwesterly 
    (235 deg. T, on a line of sight from the Kellstone Crib Light to the 
    West Harbor Entrance Channel Light #1) from the Kellstone Crib Light 
    at 41 deg.36'36'' N, 82 deg.43'40'' W to the point of intersection 
    of the South Passage Transit Channel center line at 41 deg.35'15'' 
    N, 82 deg.46'24'' W.
        (3) Marblehead Stone Dock Lane: an area 150 yards to either side 
    of a line (approximately 1\1/4\ statute miles long) running 
    northerly (019 deg. T), from the Marblehead Stone Dock Light at 
    41 deg.32'42'' N, 82 deg.43'48'' W to the point of intersection of 
    the South Passage Transit Channel center line at 41 deg.33'45'' N, 
    82 deg.43'19'' W.
        (4) Catawba Island to South Bass Island Ferry Lane: an area 150 
    yards to either side of a line (approximately 2\3/4\ statute miles 
    long) running due north (000 deg. T), from the ferry dock on the 
    north side of Catawba Island (41 deg.35'16'' N, 82 deg.50'13'' W) to 
    the ferry dock on the south side of South Bass Island 
    (41 deg.37'43'' N, 82 deg.50'13'' W).
        (5) Neuman Marblehead to Kelleys Island Ferry Lane: an area 150 
    yards to either side of a line (approximately 3\1/2\ statute miles 
    long) running northerly (006 deg. T), from the Neuman ferry dock at 
    Marblehead (41 deg.32'39'' N, 82 deg.43'55'' W) to the Newman ferry 
    dock on the south side of Kelleys Island (41 deg.35'42'' N, 
    82 deg.43'31'' W).
        (6) Kellstone Marblehead to Kelleys Island Ferry Lane: an area 
    150 yards to either side of a line (approximately 3\3/8\ statute 
    miles long) running northerly (019 deg. T), from the Kellstone ferry 
    dock at Marblehead (41 deg.32'38'' N, 82 deg.43'39'' W) to the 
    Kellstone ferry dock on the south side of Kelleys Island 
    (41 deg.35'21'' N, 82 deg.42'20'' W).
        (b) Regulations. Vessels shall not anchor or drift in these 
    regulated navigation areas.
        Option 4-B. Designated no-anchor and no-drift choke points. This 
    would be the same as Option 4-A, except that it would be limited to 
    smaller areas in critical choke points on the ends of the commercial 
    lanes instead of extending to the whole length of the lanes. These 
    choke points could include (1) the approximately 600 by 1000 yard area 
    immediately south of Starve Island Reef Red Buoy #2 bounded by the 25-
    foot depth contour, (2) a 300 by 1500 yard rectangle with a long axis 
    of 224 deg. true
    
    [[Page 67975]]
    
    running from the light on the end of the Kellstone dock on the east 
    side of Kelleys Island to the middle of the channel between Carpenter 
    point and the Red #2 Buoy off the point, and (3) 300 by 1000 yard areas 
    off each of the ferry docks on South Bass Island, Catawba Island, 
    Kelleys Island, and Marblehead.
        Under this option, the area marked off for no anchoring or drifting 
    would be approximately 3% of the total area of the South Passage. Other 
    forms of navigation would not be restricted.
    
        Draft Regulatory Text, Option 4-B:
    
    
    Sec. 165.905  South Passage of Western Lake Erie--regulated navigation 
    areas.
    
        (a) Locations. The following areas in the South Passage of 
    Western Lake Erie are regulated navigation areas:
        (1) Scott Point Shoal and Starve Island Reef Channel: an area 
    300 yards to either side of a line (approximately 1 statute mile 
    long) running northwesterly (302 deg. T) from a point at 
    41 deg.36'17'' N, 82 deg.48'19'' W (approximately 300 yards 
    northeast of Scott Point Shoal Green Buoy #1) to a point at 
    41 deg.36'40'' N, 82 deg.49'16'' W (approximately 300 yards 
    southwest of Starve Island Reef Red Buoy #2).
        (2) Kellstone Approach Channel: an area 150 yards to either side 
    of a line (approximately 1\1/4\ statute miles long) running 
    southwesterly (235 deg. T, on a line of sight from the Kellstone 
    Crib Light to the West Harbor Entrance Channel Light #1) from the 
    Kellstone Crib Light at 41 deg.36'36'' N, 82 deg.43'40'' W to a 
    point at 41 deg.36'02'' N, 82 deg.44'50'' W.
        (3) Marblehead Stone Dock Approach Channel: an area 150 yards to 
    either side of a line running 019 deg. T for 1000 yards from the 
    Marblehead Stone Dock Light at 41 deg.32'42'' N, 82 deg.43'48'' W.
        (4) South Passage Ferry Approach Channels: areas 150 yards to 
    either side of lines 1000 yards long running:
        (i) 000 deg. T from the ferry docks on the north side of Catawba 
    Island (41 deg.35'16'' N, 82 deg.50'13'' W);
        (ii) 180 deg. T from the ferry dock on the south side of South 
    Bass Island (41 deg.37'43'' N, 82 deg.50'13'' W);
        (iii) 0006 deg. T from the Neuman ferry dock at Marblehead 
    (41 deg.32'39'' N, 82 deg.43'55'' W):
        (iv) 186 deg. T from the Neuman ferry dock on the south side of 
    Kelleys Island (41 deg.35'42'' N, 82 deg.43'31'' W);
        (v) 019 deg. T from the Kellstone ferry dock at Marblehead 
    (41 deg.32'38'' N, 82 deg.43'39'' W); and
        (vi) 099 deg. T from the Kellstone ferry dock on the south side 
    of Kelleys Island (41 deg.35'21'' N, 82 deg.42'20'' W).
        (b) Regulations. Vessels shall not anchor or drift in these 
    regulated navigation areas.
    
        Option 4-C. Designated give-way areas. The same areas indicated 
    above in either Option 4-A or Option 4-B, either lanes or choke points, 
    could be designated as areas in which vessels less than 20 meters in 
    length are obligated to clear the designated area upon the approach of 
    barges, ferries, or other commercial vessels greater than 20 meters in 
    length. In effect, this would be creating a ``narrow channel'' rule for 
    each of these designated areas. Such a rule may or may not already 
    apply in some of these areas depending on interpretation on the general 
    rules. But this would make it clear and unambiguous, with notice to all 
    parties beforehand. However, it is difficult to specify a practical 
    decision rule for determining how close the approaching large vessel 
    need be before the small vessel would be obligated to clear the 
    channel.
        Draft Regulatory Text, Option 4-C:
    
    
    Sec. 165.905  South Passage of Western Lake Erie--regulated navigation 
    areas.
    
        (a) Locations. [Locations would be the same as those in either 
    Option 4-A or Option 4-B above.]
        (B) Regulations. In these regulated navigation areas, all 
    vessels less than 20 meters in length shall clear the area upon the 
    approach of barges, ferries, or other commercial vessels greater 
    than 20 meters in length.
    
    Drafting Information
    
        The drafters of this regulation are Lieutenant Commander Rhae 
    Giacoma, Assistant Chief, Marine Safety Analysis and Policy Branch, the 
    project officer, and Commander Eric Reeves, Chief, Marine Safety 
    Analysis and Policy Branch, Marine Safety Division, Ninth Coast Guard 
    District.
    
    The Environment, the Economy, and Federalism
    
        The Coast Guard invites comments on significant effects that any of 
    the actions or nonactions proposed in this notion would have on the 
    environment, economics, or federalism:
        (1) Would any of these proposed regulations or other options 
    considered here have a significant environmental impact on the South 
    Passage, Lake Erie, or nearby shore areas? If so, what resources would 
    be impacted? How would the impacts be likely to occur?
        (2) Would any of these proposed regulations or other options 
    considered here have a significant economic impact on any small 
    business or other small entity? If so, what are the likely costs? How 
    would those costs be incurred?
        (3) Would any of these proposed regulations or other options 
    considered here intrude into areas traditionally not regulated by the 
    Federal Government or otherwise implications for Federal and State 
    relations?
    
        Dated: December 2, 1996.
    John A. Bastek,
    Captain, U.S. Coast Guard, Acting Commander, Ninth Coast Guard 
    District.
    [FR Doc. 96-32836 Filed 12-24-96; 8:45 am]
    BILLING CODE 4910-14-M
    
    
    

Document Information

Published:
12/26/1996
Department:
Transportation Department
Entry Type:
Proposed Rule
Action:
Advance notice of proposed rulemaking.
Document Number:
96-32836
Dates:
Comments must be received on or before February 24, 1997.
Pages:
67971-67975 (5 pages)
Docket Numbers:
CGD0-96-017
PDF File:
96-32836.pdf
CFR: (2)
33 CFR 2009)
33 CFR 165.905