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Environmental Impact Assessment of Nongovernmental Activities in Antarctica (Renewal)

OMB: 2020-0007

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Table of Contents

SUPPORTING STATEMENT

for Renewal of Information Collection Requirements under the

Paperwork Reduction Act, 44 U.S.C. 3501 et seq.


Final Rule at 40 CFR Part 8

Environmental Impact Assessment of Nongovernmental Activities in Antarctica

December 2013


Page


1. Identification of the Information Collection . . . . . . . . . . . . . . . . . . . . . . 1

1(a) Title of the Information Collection . . . . . . . . . . . . . . . . . . . . . . . 1

1(b) Short Characterization/Abstract . . . . . . . . . . . . . . . . . . . . . . . . 1

2. Need for and Use of the Collection . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 4

2(a) Need/Authority for the Collection . . . . . . . . . . . . . . . . . . . . . . . . 4

2(b) Practical Utility/Users of the Data . . . . . . . . . . . . . . . . . . . . . . . . 4


3. Nonduplication, Consultations, and Other Collection Criteria . . . . . . . . . 6

3(a) Nonduplication . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 6

3(b) Public Notice Required Prior to ICR Submission to OMB . . . . . . 7

3(c) Consultations . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 7

3(d) Effects of Less Frequent Collection . . . . . . . . . . . . . . . . . . . . . . . . 7

3(e) General Guidelines . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8

3(f) Confidentiality . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8

3(g) Sensitive Questions . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8


4. The Respondents and the Information Requested . . . . . . . . . . . . . . . . . . . 9

4(a) Respondents/SIC Codes . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 9

4(b) Information Requested . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 9

(i) Data items, including recordkeeping requirements. . . . . . . . 9

(ii) Respondent Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10


5. The Information Collected--Agency Activities, Collection Methodology,

and Information Management . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 14

5(a) Agency Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 14

5(b) Collection Methodology and Management . . . . . . . . . . . . . . . . . . 16

5(c) Small Entity Flexibility . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 16

5(d) Collection Schedule . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 19



6. Estimating the Hours and Cost Burden of the Collection . . . . . . . . . . . . . . 20

6(a) Estimating Respondent Burden . . . . . . . . . . . . . . . . . . . . . . . . . . 20

6(b) Estimating Respondent Costs . . . . . . . . . . . . . . . . . . . . . . . . . . . . 25

(i)Estimating Labor Costs . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 25

(ii)Estimating Capital and Operations and Maintenance Costs. . . 27

(iii) Annualizing Capital Costs . . . . . . . . . . . . . . . . . . . . . . . . . . . . 31

6(c) Estimating Agency Burden and Costs. . . . . . . . . . . . . . . . . . 31

6(d) Estimating the Respondent Universe and Total Burden and Costs 43

6(e) Bottom Line Burden Hours and Cost Tables. . . . . . . . . . . . . . . . . 46

(i)Respondent Tally . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 46

(ii)The Agency Tally . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 46

(iii)Variations in the Annual Bottom Line . . . . . . . . . . . . . . . . . . 46

6(f) Reason for Change in Burden . . . . . . . . . . . . . . . . . . . . . . . . . . . . 46

6(g) Burden Statement . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 46


Exhibit 1A: PERMs - Estimated Respondent Hours and Cost . . . . . . . . . . . . . . 48

Exhibit 1B: IEEs - Estimated Respondent Hours and Cost . . . . . . . . . . . . . . . . 49

Table 1. IEEs - Total Estimated Hours and Cost for the Three IEE

Models with 3.5% Escalation Rate . . . . . . . . . . . . . . . . . . . . . . 51

Exhibit 1C: CEEs - Estimated Respondent Hours and Cost . . . . . . . . . . . . . . . . 53

Exhibit 1D: Reporting for Emergencies - Estimated Respondent Hours and Cost 54


Exhibit 2A: PERMs - Estimated Federal Government Hours and Cost . . . . . . . . 55

Exhibit 2B: IEEs - Estimated Federal Government Hours and Cost . . . . . . . . . . 57

Table 2. IEEs - Total Estimated Hours and Cost for the Three IEE

Models with 3.5% Escalation Rate . . . . . . .. . . . . . . . . . . . . . . . 60

Exhibit 2C: CEEs - Estimated Federal Government Hours and Cost . . . . . . . . . 61

Exhibit 2D: Reporting for Emergencies - Estimated Federal Government

Hours and Cost . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 63

Exhibit 2E: Coordinating Review of Information Received from Other Parties -

Estimated Federal Government Hours and Cost . . . . . . . . . . . . . . 64

Exhibit 3: Summary - Estimated Respondent/Federal Government

Hours and Cost . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 65

Chart 1. Estimated total and annual average hours and cost for each type

of environmental document that is submitted by a respondent

under the Final Rule . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 65

Chart 2. Estimated total hours and costs for Multi-Year IEE as the

anticipated level and type of environmental document most

respondents submit under the Final Rule for the 3-year ICR

renewal . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 65

Chart 3. Estimated hours and costs for environmental documentation

for 3-year period of this ICR renewal . . . . . . . . . . . . . . . . . . . . . 66

Exhibit 4: Summary for Respondents and Federal Government - O&M Costs . . 67


Part B: Statistical Survey . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . B-1





SUPPORTING STATEMENT

for Renewal of Information Collection Requirements under the

Paperwork Reduction Act, 44 U.S.C. 3501 et seq.


Final Rule at 40 CFR Part 8

Environmental Impact Assessment of Nongovernmental Activities in Antarctica


___________________________________



1. IDENTIFICATION OF THE INFORMATION COLLECTION


1(a) TITLE OF THE INFORMATION COLLECTION: "Environmental Impact Assessment of Nongovernmental Activities in Antarctica (Renewal)”

EPA ICR Number 1808.07, OMB Control Number 2020-0007"


1(b) SHORT CHARACTERIZATION/ABSTRACT: The Environmental Protection Agency=s (EPA=s) regulations at 40 CFR Part 8, Environmental Impact Assessment of Nongovernmental Activities in Antarctica (Rule), were promulgated pursuant to the Antarctic Science, Tourism, and Conservation Act of 1996 (Act), 16 U.S.C. 2401 et seq., as amended, 16 U.S.C. 2403a, which implements the Protocol on Environmental Protection (Protocol) to the Antarctic Treaty of 1959 (Treaty). The Rule provides for assessment of the environmental impacts of nongovernmental activities in Antarctica, including tourism, for which the United States is required to give advance notice under Paragraph 5 of Article VII of the Treaty, and for coordination of the review of information regarding environmental impact assessments received from other Parties under the Protocol. The requirements of the Rule apply to operators of nongovernmental expeditions organized in or proceeding from the territory of the United States to Antarctica and include commercial and non-commercial expeditions. Expeditions may include ship-based tours; yacht, skiing or mountaineering expeditions; privately funded research expeditions; and other nongovernmental activities. The Rule does not apply to individual U.S. citizens or groups of citizens planning to travel to Antarctica on an expedition for which they are not acting as an operator. (Operators, for example, typically acquire use of vessels or aircraft, hire expedition staff, plan itineraries, and undertake other organizational responsibilities.) The Rule provides nongovernmental operators with the specific requirements they need to meet in order to comply with the requirements of Article 8 and Annex I to the Protocol. The provisions of the Rule are intended to ensure that potential environmental effects of nongovernmental activities undertaken in Antarctica are appropriately identified and considered by the operator during the planning process and that to the extent practicable, appropriate environmental safeguards which would mitigate or prevent adverse impacts on the Antarctic environment are identified by the operator.


Environmental Documentation. Persons subject to the Rule must prepare environmental documentation to support the operator's determination regarding the level of environmental impact of the proposed expedition. Environmental documentation includes a Preliminary Environmental Review Memorandum (PERM), an Initial Environmental Evaluation (IEE), or a Comprehensive Environmental Evaluation (CEE). The environmental document is submitted to the Office of Federal Activities (OFA). If the operator determines that an expedition may have: (1) less than a minor or transitory impact, a PERM needs to be submitted no later than 180 days before the proposed departure to Antarctica; (2) no more than minor or transitory impacts, an IEE needs to be submitted no later than 90 days before the proposed departure; or (3) more than minor or transitory impacts, a CEE needs to be submitted. Operators who anticipate such activities are encouraged to consult with EPA as soon as possible regarding the date for submittal of the CEE.1


The Protocol and the Rule also require an operator to employ procedures to assess and provide a regular and verifiable record of the actual impacts of an activity which proceeds on the basis of an IEE or CEE. The record developed through these measures needs to be designed to: (a) enable assessments to be made of the extent to which environmental impacts of nongovernmental expeditions are consistent with the Protocol; and (b) provide information useful for minimizing and mitigating those impacts and, where appropriate, on the need for suspension, cancellation, or modification of the activity. Moreover, an operator needs to monitor key environmental indicators for an activity proceeding on the basis of a CEE. An operator may also need to carry out monitoring in order to assess and verify the impact of an activity for which an IEE would be prepared. For activities that require an IEE, an operator should be able to use procedures currently being voluntarily utilized by operators to provide the required information.2 Should an activity require a CEE, the operator should consult with EPA to: (a) identify the monitoring regime appropriate to that activity, and (b) determine whether and how the operator might utilize relevant monitoring data collected by the U.S. Antarctic Program. OFA would consult with the National Science Foundation and other interested Federal agencies regarding the monitoring regime.


In cases of emergency relating to the safety of human life or of ships, aircraft, equipment and facilities of high value, or the protection of the environment which would require an activity to be undertaken without completion of the documentation procedures set out in the Rule, the operator would need to notify the Department of State within 15 days of any activities which would have otherwise required preparation of a CEE, and provide a full explanation of the activities carried out within 45 days of those activities.3


Environmental documents (e.g., PERM, IEE, CEE) are submitted to OFA. Environmental documents are reviewed by OFA, in consultation with the National Science Foundation and other interested Federal agencies, and also made available to other Parties and the public as required under the Protocol or otherwise requested. OFA notifies the public of document availability via the World Wide Web at: http://www.epa.gov/compliance/nepa/international/antarctica/index.html. The types of nongovernmental activities currently being carried out (e.g., ship-based tours, land-based tours, flights, and privately funded research expeditions) are typically unlikely to have impacts that are more than minor or transitory, thus an IEE is the typical level of environmental documentation submitted. For the 1997-1998 through 2009-2010 austral summer seasons during the time Rule has been in effect, all respondents submitted IEEs with the exception of one PERM. Paperwork reduction provisions in the Final Rule that are used by the operators include:


a) incorporation of material into the environmental document by referring to it in the IEE;

b) inclusion of all proposed expeditions by one operator within one IEE;

c) use of one IEE to address expeditions being carried out by more than one operator; and

d) use of multi-year environmental documentation to address proposed expeditions for a period of up to five consecutive austral summer seasons.


Coordination of Review of Information Received from Other Parties to the Treaty. The Rule also provides for the coordination of review of information received from other Parties and the public availability of that information including: (1) a description of national procedures for considering the environmental impacts of proposed activities; (2) an annual list of any IEEs and any decisions taken in consequence thereof; (3) significant information obtained and any action taken in consequence thereof with regard to monitoring from IEEs and CEEs; and (4) information in a final CEE. This provision fulfills the United States' obligation to meet the requirements of Article 6 of Annex I to the Protocol. The Department of State is responsible for coordination of these reviews of drafts with interested Federal agencies, and for public availability of documents and information. This portion of the Rule does not impose paperwork requirements on any nongovernmental person subject to U.S. regulation.


2. NEED FOR AND USE OF THE COLLECTION


2(a) NEED/AUTHORITY FOR THE COLLECTION: The basis for the Rule is the United States Code as amended: 16 U.S.C. 2401 et seq., as amended, 16 U.S.C. 2403a.


The Rule, promulgated pursuant to the Antarctic Science, Tourism, and Conservation Act of 1996, provides nongovernmental operators with the specific requirements they need to meet in order to comply with the requirements of Article 8 and Annex I to the Protocol on Environmental Protection to the Antarctic Treaty of 1959 and provides for the environmental impact assessment of nongovernmental activities, including tourism, for which the United States is required to give advance notice under paragraph 5 of Article VII of the Antarctic Treaty of 1959.


The Rule also provides for coordination of the review of information regarding environmental impact assessment received by the United States from other Parties under the Protocol. This provision of the Rule includes Federal agency requirements, but does not impose paperwork requirements on any nongovernmental person subject to U.S. regulation.


The procedures in the Rule are designed to: ensure that nongovernmental operators identify and assess the potential impacts of their proposed activities, including tourism, on the Antarctic environment; that operators consider these impacts in deciding whether or how to proceed with proposed activities; and that operators provide environmental documentation pursuant to the Act and Annex I of the Protocol. These procedures are consistent with and implement the environmental impact assessment provisions of Article 8 and Annex I to the Protocol on Environmental Protection to the Antarctic Treaty.


2(b) PRACTICAL UTILITY/USERS OF THE DATA:


Role of the Information in Regulatory Decisions: The Office of Federal Activities uses environmental impact assessment information and any associated assessment and verification information to ensure that nongovernmental operators identify and assess the potential impacts of their proposed activities, including tourism, on the Antarctic environment; that operators consider these impacts in deciding whether or how to proceed with proposed activities; and that operators provide environmental documentation pursuant to the Act and Annex I of the Protocol. The procedures in the Rule are consistent with and implement the environmental impact assessment provisions of Article 8 and Annex I to the Protocol. The provisions of the Rule are intended to ensure that potential environmental effects of nongovernmental activities undertaken in Antarctica are appropriately identified and considered by the operator during the planning process and that to the extent practicable, appropriate environmental safeguards which would mitigate or prevent adverse impacts on the Antarctic environment are identified by the operator.


The Rule addresses measures to assess and verify environmental impacts but does not set schedule requirements for submission of assessment and verification reports. Under the Rule, all proposed activities for which an IEE or CEE are prepared need to include procedures designed to provide a regular and verifiable record of the impacts of these activities. For activities requiring an IEE, the Preamble to the Rule states that operators should be able to use the annual procedures that are voluntarily utilized by operators to provide the information. Because measures to assess and verify environmental impacts for all proposed activities for which an IEE or CEE are prepared are required by the Rule, and because of the recordkeeping requirements of and burden definition in the Paperwork Reduction Act (PRA), EPA has included this information as an element for the operators for which hours and cost were calculated. Because operators voluntarily provide the information to the government, the hours and cost of review of this information was also included in the government=s burden estimate. In this case, EPA believes the PRA, Section 3502(13) clearly supports the view that recordkeeping requirements must be considered inclusively in developing the ICR budget.4


The purpose of the Rule is to ensure that the United States has the ability to implement its environmental impact assessment obligations for nongovernmental operators under the Protocol. Section 8.9(b) in the Rule requires that operators have Aprocedures designed to provide a regular and verifiable record of the impacts of these activities. The EPA believes that this establishes a requirement that the information be available to EPA. Otherwise, there is no way to know if an operator was in compliance with this requirement in the regulation. As stated in the Preamble to the Rule, it is EPA=s view that, at a minimum, an IEE is the appropriate level of environmental documentation for proposed activities where multiples of the activity over time are likely and may create a cumulative impact. For activities requiring an IEE, an operator should be able to use procedures that are voluntarily utilized by operators to provide the required information. The operators currently provide post-visit reports to Antarctic Treaty Parties. Currently, the National Science Foundation receives the information voluntarily submitted by the tour operators and, in cooperation with the International Association of Antarctica Tour Operators (IAATO), uses the information to prepare annual summary reports. EPA assumes this voluntary process of post-visit reporting will continue. EPA intends to review the information voluntarily submitted, and to maintain files. Because operators are currently voluntarily providing the informational reports to the government and because EPA anticipates that this practice will continue, EPA included the hours and cost of review of this information in the government=s burden estimates.


Users of the Information: The procedures in the Rule include procedures for environmental documentation, any associated assessment and verification information, and any reporting in cases of emergency. This information would be used as follows:


By operators to identify and assess the potential impacts of their proposed activities, including tourism, on the Antarctic environment; to consider these impacts in deciding whether or how to proceed with proposed activities; and to provide environmental documentation pursuant to the Act and Annex I of the Protocol. For a CEE, any decision by the operator on whether a proposed activity should proceed in either its original or modified form must be based upon the final CEE as well as other relevant considerations, and the information provided in an evaluation should allow the operator to make decisions based on sound understanding of factors relevant to the likely impact of the proposed activity.


By OFA, in consultation with other interested Federal agencies, to ensure that nongovernmental operators identify and assess the potential impacts of their proposed activities, including tourism, on the Antarctic environment, and that operators consider these impacts in deciding whether or how to proceed with proposed activities. OFA also makes the environmental documentation and any associated assessment and verification information available to other Parties to the Treaty and the public as required under the Protocol or as otherwise requested. OFA uses the assessment and verification information for such things as tracking Antarctic tourism trends and activities.


3. NONDUPLICATION, CONSULTATIONS, AND OTHER COLLECTION CRITERIA


3(a) NONDUPLICATION: The information that is requested from respondents under this ICR is required by statute and is not available from other sources. The Act requires these regulations to be consistent with Annex I to the Protocol, and the Rule provides nongovernmental operators with the specific requirements they need to meet in order to comply with the Protocol. Most Antarctica tour operators currently provide, on an informal basis, information to the National Science Foundation prior to each Antarctic season. Operators also provide an advance notice to the U.S. Department of State. This information is similar to the basic information requirements for preparation of environmental documentation under the Rule. However, the Rule ensures that nongovernmental operators identify and assess the potential impacts of their proposed activities, including tourism, on the Antarctic environment, and that operators consider these impacts in deciding whether or how to proceed with proposed activities. Even the lowest level of environmental documentation, the PERM, directs that the assessment process include assessment of the potential direct and reasonably foreseeable indirect impacts on the Antarctic environment of the proposed expedition in sufficient detail to assess whether the proposed activity has less than a minor or transitory impact, a requirement that leads to consistency with Article 8 and Annex I of the Protocol. Operators can, and usually do, include a copy of the advance notice as part of their EIA documentation.5 However, simply providing a copy of the advance notice submitted to the Department of State as the environmental documentation would not meet the requirements of Article 8 and Annex I of the Protocol or the provisions of the Rule.


3(b) PUBLIC NOTICE REQUIRED PRIOR TO ICR SUBMISSION TO OMB:


The Office of Federal Activities published a Notice in the Federal Register requesting public comments on the renewal of this ICR and established a public docket for this ICR renewal under Docket ID number HQ-OECA-2007-0468. Public comments were requested via the Federal Register (78 FR 57847) on September 20, 2013. The proposed information collection did not receive any comments.


3(c) CONSULTATIONS:


The Office of Federal Activities attempted to contact four potential respondents. The following is a list of potential respondents contacted:


Ted Cheeseman Ron Naveen

Cheesemans' Ecology Safaris Oceanites, Inc. /Antarctic Site Inventory

408-741-5330 202-237-6262


Bill Davis Bob Simpson

Quark Expeditions Abercrombie & Kent USA, LLC

416-645-8253 630-725-3400 Ext 150

Only Ted Cheeseman of Cheesemans’ Ecology Safaris and Ron Naveen of Oceanites, Inc. provided responses. OFA inquired whether or not the respondent burden in the Supporting Statement was an accurate portrayal. Ted Cheeseman believed that the majority of burden hours were accurate with the exception of the estimate for the multi-year IEE documentation. He believes the “multi-year” IEE documentation estimate should be double of what has been anticipated. Ron Naveen believed that his burden was half of what EPA estimates to be the burden.


3(d) EFFECTS OF LESS FREQUENT COLLECTION: The Rule requires environmental documentation for each operator for each nongovernmental expedition to Antarctica. Nongovernmental activities are usually limited to seasonal expeditions during the austral summer season and operators report annually on their proposed expeditions. Operators with one-time only expeditions report only during the season for which their expedition is planned. In order to minimize paperwork and to implement the regulations without undue burden on operators, the Rule provides that: (1) material may be incorporated by referring to it in the environmental document when it is reasonably available to EPA; (2) more than one proposed expedition by an operator may be included within one environmental document; (3) one environmental document may also be used to address expeditions being carried out by more than one operator; and (4) operators may submit multi-year environmental documentation to address proposed expeditions for a period of up to five consecutive austral summer seasons. Once environmental documentation has been prepared for a season, an operator can resubmit the same document for subsequent seasons provided the level and intensity of the activities are not unchanged and that relevant updates are submitted. Updates are likely to include dates of expeditions and changes in landing locations. The operator may also revise the document to address modifications to the expedition's activities that could have environmental consequences. Most operators are likely to employ the multi-year provision thereby further reducing their annual reporting burden. Under this paperwork reduction provision, one environmental document may be submitted by one or more operators for proposed expeditions for a period of up to five consecutive austral summer seasons, provided that the conditions of the multi-year environmental document, including the assessment of cumulative impacts, are unchanged. The multi-year provision allows operators to update basic information and to provide information on additional activities to supplement the multi-year environmental document without having to revise and re-submit the entire document.


The Protocol and the Rule also require an operator to employ procedures to assess and provide a regular and verifiable record of the actual impacts of any activity which proceeds on the basis of an IEE or CEE. For activities requiring an IEE, an operator should be able to use the annual procedures currently being voluntarily utilized by operators to provide the information.


3(e) GENERAL GUIDELINES: The information collections associated with the Rule follow OMB's guidelines. Section III.F of the Preamble, Submission of Environmental Documents, indicates that an operator submits five copies of its environmental documentation, along with an electronic copy, if available. EPA coordinates review of the document with other interested Federal agencies and makes documents received available to the other Parties to the Treaty and the public as required under the Protocol or as otherwise requested. EPA believes that five copies (total) does not place undue burden on the operator and enables EPA to distribute copies to the reviewing agencies in a timely manner, particularly in light of the timing requirements for document submission and review prior to departure for the expedition.


3(f) CONFIDENTIALITY: The Rule does not require submission of confidential information, nor does EPA anticipate that operators would submit confidential information as part of their environmental documentation.


3(g) SENSITIVE QUESTIONS: The Rule does not require response to sensitive questions (e.g., questions concerning sexual behavior or attitudes, religious beliefs, or other matters usually considered private).



4. THE RESPONDENTS AND THE INFORMATION REQUESTED


4(a) RESPONDENTS/SIC CODES: The requirements of the Rule apply to operators of nongovernmental expeditions organized in or proceeding from the territory of the United States to Antarctica for which the United States is required to give advance notice under Paragraph 5 of Article VII of the Treaty and includes commercial and non-commercial expeditions. Expeditions include ship-based tours; yacht, skiing or mountaineering expeditions; flights; privately funded research expeditions; and other nongovernmental or nongovernment-sponsored activities. The Rule does not apply to individual U.S. citizens or groups of citizens planning to travel to Antarctica on an expedition for which they are not acting as an operator. (Operators, for example, typically acquire use of vessels or aircraft, hire expedition staff, plan itineraries, and undertake other organizational responsibilities.) Further, the Act is specific for nongovernmental activities, thus governmental jurisdictions are not subject to these regulations.


Most operators are ship-based or land-based tour operators. The SIC Code for Tour Operators is 4725 and the NAICS Code is 561520.


4(b) INFORMATION REQUESTED:


(i) Data items, including recordkeeping requirements: The Rule provides nongovernmental operators with the specific environmental documentation requirements they need to meet in order to comply with relevant portions of the Protocol. Nongovernmental operators, including tour operators, conducting expeditions to Antarctica are required to submit environmental documentation to EPA that evaluates the potential environmental impact of their proposed activities. The type of environmental document required depends upon the nature and intensity of the environmental impacts that could result from the activity under consideration. Under the Rule, environmental documentation includes a Preliminary Environmental Review Memorandum (PERM), an Initial Environmental Evaluation (IEE), or a Comprehensive Environmental Evaluation (CEE). If the operator determines that an expedition may have: (1) less than a minor or transitory impact, a PERM needs to be submitted no later than 180 days before the proposed departure to Antarctica; (2) no more than minor or transitory impacts, including the cumulative impacts of the proposed activity in light of existing and known proposed activities, an IEE needs to be submitted no later than 90 days before the proposed departure; or (3) more than minor or transitory impacts, including the cumulative impacts of the proposed activity in light of existing and known proposed activities, a CEE needs to be submitted.


The Protocol and the Rule also require an operator to employ procedures to assess and provide a regular and verifiable record of the actual impacts of an activity which proceeds on the basis on an IEE or CEE, including monitoring of key environmental indicators for an activity proceeding on the basis of a CEE. For activities that require an IEE, an operator should be able to use the annual procedures currently being voluntarily utilized by operators to provide the information. For activities that require a CEE, OFA would consult with the National Science Foundation and other interested Federal agencies regarding the monitoring regime that would be appropriate to the activity proposed, and with regard to possible utilization of relevant monitoring data collected by the U.S. Antarctic Program.


Environmental documentation is submitted to EPA by an operator prior to an expedition. For most respondents, including tour operators, EPA assumes this will be an IEE and, as provided in the Rule at Section 8.4, an operator may: (1) include more than one proposed expedition within one environmental document, and (2) one environmental document may also be used to address expeditions being carried out by more than one operator. An operator can also submit multi-year documentation to address proposed expeditions for a period of up to five consecutive austral summer seasons thus eliminating the need for annual submission of environmental documentation. The multi-year provision also allows operators to update basic information and to provide information on additional activities to supplement the multi-year environmental document without having to revise and re-submit the entire document. Operators are not required to retain the environmental documentation submitted to EPA. There is nothing in the Rule, however, that precludes an operator from submitting a previous year's documentation, with appropriate updates, for a subsequent year's expedition(s).


In cases of emergency relating to the safety of human life or of ships, aircraft, equipment and facilities of high value, or the protection of the environment which requires an activity to be undertaken without completion of the documentation procedures set out in the Rule, the operator must notify the Department of State within 15 days of any activities which would have otherwise required preparation of a CEE, and provide a full explanation of the activities carried out within 45 days of those activities.


Enforcement action can proceed, pursuant to Section 8.11 of the Rule, against an operator who violates any provision of the Rule. Enforcement actions are not, however, subject to the requirements of the Paperwork Reduction Act (PRA).

(ii) Respondent Activities: The EPA considered the definition of "burden" developed for the PRA and the Office of Management and Budget=s (OMB's) final rules on implementing the PRA. For purposes of renewing this ICR, EPA estimated the hours and costs to respondents under the Rule. These are the operators (e.g., respondents) for which the United States provided advance notice under Paragraph 5 of Article VII of the Treaty for proposed nongovernmental expeditions organized in or proceeding from the U.S. to the Antarctic Treaty area. EPA used a ship-based tour operator as its model respondent since most U.S.-based nongovernmental activities covered by the Rule are for operators and activities associated with ship-based tourism as summarized in Figure 1.6



Figure 1. Numbers of Operators Submitting Environmental Documentation Under the Rule7 and the Level of Documentation Submitted



Season


Operators


Documentation Submitted


1997-1998


9


4 total IEEs submitted including:

1 IEE submitted on behalf of five IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by two IAATO-member operators for their expeditions to the Ross Sea area

2 IEEs submitted by two non-IAATO operators


1998-1999


10


4 total IEEs submitted including:

1 IEE submitted on behalf of seven IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

2 IEEs submitted by two non-IAATO operators


1999-2000


13


6 total IEEs submitted including:

1 IEE submitted on behalf of eight IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

4 IEEs submitted by four non-IAATO operators including a one-time only filming expedition and a one-time only cruise-only expedition


2000-2001


13 8


5 total IEEs submitted including:

1 IEE submitted on behalf of nine IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

3 IEEs submitted by three non-IAATO operators including a one-time only trekking expedition


2001-2002


129


7 total IEEs submitted including:

1 IEE submitted on behalf of seven IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

5 IEEs submitted by five non-IAATO operators including a one-time sailor training expedition


2002-2003


14


8 total IEEs submitted including:

1 IEE submitted on behalf of seven IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

6 IEEs submitted by six non-IAATO operators



2003-2004


22


1 PERM submitted for a one-time only flight

13 total IEEs submitted including:

1 IEE submitted on behalf of nine IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

11 IEEs submitted by eleven non-IAATO operators including two one-time only flights



2004-2005


21


16 total IEEs submitted including:

6 IEE submitted on behalf of 11 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

8 IEEs submitted by 8 non-IAATO operators



2005-2006


19


13 total IEEs submitted including:

5 IEEs submitted on behalf of 11 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

6 IEEs submitted by 8 non-IAATO operators



2006-2007


21


13 total IEEs submitted including:

5 IEEs submitted on behalf of 14 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

6 IEEs submitted by 6 non-IAATO operators


2007-2008

24

14 total IEEs submitted including:

6 IEEs submitted on behalf of 14 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

6 IEEs submitted by 6 non-IAATO operators

2008-2009

17

12 total IEEs submitted including:

8 IEEs submitted on behalf of 13 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

2 IEEs submitted by 2 non-IAATO operators

2009-2010

16

11 total IEEs submitted including:

9 IEEs submitted on behalf of 14 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

0 IEEs submitted by non-IAATO operators

2010-2011

18

16 total IEEs submitted including:

12 IEEs submitted on behalf of 14 IAATO-member operators for expeditions to the Peninsula area

0 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

0 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

4 IEEs submitted by non-IAATO operators

2011-2012

15

14 total IEEs submitted including:

9 IEEs submitted on behalf of 11 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

3 IEEs submitted by non-IAATO operators

2012-2013

16

1 PERM submitted for a one-time only flight

14 total IEEs submitted including:

9 IEEs submitted on behalf of 11 IAATO-member operators for expeditions to the Peninsula area

1 IEE submitted by one IAATO-member operator for its expeditions to the Ross Sea area

1 IEE submitted by one IAATO-member operator for its expeditions to the Continental area

3 IEEs submitted by non-IAATO operators


The EPA hours and cost estimates are based on the following activities which EPA assumes a respondent would carry out to prepare and submit the environmental documentation and undertake as assessment and verification procedures.


Assumed Operator Activities Associated With:


1. Preparing and Submitting Environmental Documentation:

1. Read the regulations and evaluate business operations and the expedition(s) activities relative to the regulatory provisions of the Rule and determine the level of environmental documentation needed;

2. Search reference sources for existing information on environmental conditions at proposed expedition site(s) and compile basic information from company records for use in preparation of the environmental document for the proposed expedition(s);

3. Prepare the environmental impact assessment (EIA) document (e.g., PERM, IEE or CEE), or review a contractor-prepared document, and submit to EPA; and

4. Revise document if necessary, or operator decides to prepare higher level EIA document, in response to EPA's comments and submit to EPA.


2. Post-Expedition Assessment and Verification Procedures:

1. Prepare assessment and verification information.


3. Reporting for Cases of Emergency, if necessary:

1. Notify the Department of State of any activities which would have otherwise required preparation of a CEE within 15 days.

2. Provide a full report to the Department of State within 45 days.


The Rule does NOT require or contemplate the need for respondents to:


1. Acquire, install, or utilize technology and systems for the purpose of collecting, validating, and verifying information;

2. Develop, acquire, install, or utilize technology and systems for the purpose of processing and maintaining information;

3. Develop, acquire, install, or utilize technology and systems for the purpose of disclosing and providing information; or

4. Adjust the existing ways to comply with any previously applicable instructions and requirements.


5. THE INFORMATION COLLECTED--AGENCY ACTIVITIES, COLLECTION METHODOLOGY, AND INFORMATION MANAGEMENT


5(a) AGENCY ACTIVITIES: The EPA consults with the Department of State, the National Science Foundation, and other interested Federal agencies10 for activities associated with the Rule. This enables appropriate government agencies with specific Antarctic interests and expertise to be involved with the review of the environmental documentation for proposed nongovernmental expeditions including coordination of appropriate information relative to the U.S. Antarctic Program. Further, violation of the provisions of the Rule could result in enforcement and penalties pursuant to the Antarctic Conservation Act, as amended, as undertaken by the National Science Foundation and/or the Department of Justice. Finally, the Department of State has specific responsibilities under the Rule, Section 8.12, Coordination of reviews from other Parties, and for circulating a CEE that is prepared in accordance with the Rule at Section 8.8, along with any decisions by the operator relating thereto, to all Parties. Activities associated with the Rule for the EPA and other Federal agencies consist of the following.


EPA and Other Federal Agencies Activities Associated With:


1. Processing and Reviewing Environmental Documentation Received from Operators:

1. Post receipt of environmental documents on OFA's World Wide Website, and provide copies to other Federal agencies and the public, if requested.

2. Prepare and publish Federal Register notice of receipt of draft CEEs and notice of availability for Final CEEs.

3. Review environmental documents, including any appropriate public comments, and provide comments to the operator.

4. Consult with operators on the comments, or any other elements associated with the environmental documentation requirements.

5. Circulate to interested Federal agencies and review the revised or final document submitted by the operator, and notify the operator, if necessary, if the environmental documentation does not meet the requirements of the Protocol and the provisions of the Rule.

6. Notify the Parties and provide copies to the Committee for Environmental Protection of the annual list of IEEs, draft CEEs and final CEEs.

7. Maintain files.

2. Processing and Reviewing Post-Expedition Assessment and Verification Information:

1. Review assessment and verification information submitted by operators.

2. Maintain files.


3. Processing and Reviewing Reports for Cases of Emergency, if necessary:

1. Notify Parties to the Protocol when activities taken in cases of emergency are reported by operators which required the operator to undertake any activities which would have otherwise required preparation of a CEE.

2. Forward the operator's full explanation of the activities carried out to the Parties.

3. Review assessment and verification information submitted by operator.

4. Maintain files.


4. Processing and Reviewing Environmental Documentation Received from Other Parties:

1. Prepare and publish Federal Register notice of receipt of a draft CEE from another Party and provide copies to other interested Federal agencies and the public, if requested.

2. Review draft CEE and transmit inter-agency response to the Party that circulated the CEE.

3. Provide copies of other environmental documents to interested Federal agencies and the public, if requested. Other environmental documents may include:

a) a description of national procedures for considering the environmental impacts of proposed activities;

b) an annual list of any IEEs and any decisions taken in consequence thereof;

c) significant information obtained and any action taken in consequence thereof with regard to monitoring from IEEs and CEEs; and

d) information on a final CEE.

4. Post receipt of significant monitoring information on OFA's World Wide Website.

5. Maintain files.


5(b) COLLECTION METHODOLOGY AND MANAGEMENT: The environmental documentation that is required by the Rule is submitted by operators in accordance with the deadlines in the regulations. These documents can be submitted in hard copy and can also be submitted electronically. The Rule mandates specific information to be included in the document, but does not require a specific format. Since the information requirement is the same as that in the Protocol, this allows flexibility for operators who have multiple international documentation requirements.11 EPA, in consultation with other interested Federal agencies, reviews the environmental documentation relative to the general requirements (e.g., Rule, Section 8.4) and the specific requirements for each level of documentation (e.g., Rule, Section 8.6 for PERMs; Section 8.7 for IEEs; and Section 8.8 for CEEs). EPA provides its comments to the operator, and the operator then prepares revised documentation or responses to EPA’s questions or comments. Following the final response from the operator, if appropriate, EPA, with the concurrence of the National Science Foundation, makes a finding that the documentation submitted does not meet the requirements of Article 8 and Annex I of the Protocol and the provisions of the regulations. EPA provides copies of environmental documents to all interested Federal agencies, and the public is informed of receipt of environmental documents through notice on OFA’s Homepage on the World Wide Web, and through the Federal Register for CEEs.


5(c) SMALL ENTITY FLEXIBILITY: The PRA incorporated the Regulatory Flexibility Act into it. The Regulatory Flexibility Act (RFA), as amended by the Small Business Regulatory Enforcement Act of 1996 (SBREFA, 5 U.S.C. 601 et seq.), generally requires an agency to prepare a regulatory flexibility analysis of any rule subject to notice and comment rulemaking requirements under the Administrative Procedure Act or any other statute unless the agency certifies that the rule will not have a significant economic impact on a substantial number of small entities. Small entities include small businesses, small organizations, and small governmental jurisdictions.


The purpose of the RFA/SBREFA is Ato fit regulatory and informational requirements to the scale of the business, organizations and governmental jurisdictions subject to the regulation.@ To achieve this principle, agencies are required to Asolicit and consider flexible regulatory proposals and to explain the rationale for their actions to assure that such proposals are given serious consideration.@ The RFA/SBREFA does not require an agency to minimize a rule=s impact on small entities if there are legal, policy, factual or other reasons for not doing so. The RFA/SBREFA requires only that agencies: determine, to the extent feasible, the rule=s economic impact on small entities; explore regulatory options for reducing any significant economic impact on a substantial number of such entities; and explain the Agency=s ultimate choice of regulatory approach.


The RFA/SBREFA requirements to prepare a regulatory flexibility analysis or a certification of no significant economic impact on a substantial number of small entities applies to proposed rules subject to notice-and-comment rulemaking requirements under the Administrative Procedure Act or any other statute, and final rules promulgated under the notice-and-comment rulemaking requirements of the Administrative Procedure Act. Further, the RFA requires that an agency identify the types, and estimate the numbers, of small entities Ato which the final [or proposed] rule will apply,@ and describe the rule Arequirements@ to which small entities Awill be subject@ and any regulatory alternatives, including exemptions and deferrals, which would lessen the rule=s burden on small entities. It is EPA=s policy to make an assessment of the rule=s impact on any small entities, to engage the potentially regulated entities in a dialog regarding the rule, and minimize the impact to the extent feasible. However, in view of the requirements of SBREFA, a regulatory flexibility analysis as specified by the RFA is not required simply because the rule has some impact on some number of small entities. Instead, such analyses is required only in cases where the Agency cannot certify that the rule will not have a significant economic impact on a substantial number of small entities.

For purposes of assessing the impacts of the Final Rule on small entities, small entity is defined as:


(1) a small business as defined by the Small Business Administration with the North American Industry Classification System (NAICS) code for ATour Operators,@ code 561520, with annual maximum receipts of $5.0 million (13 CFR Part 121); and

(2) a small organization that is any not-for-profit enterprise which is independently owned and operated and is not dominant in its field.


In accordance with section 2403a of the Act, governmental jurisdictions are not subject to this rulemaking.12


In determining whether a rule has a significant economic impact on a substantial number of small entities, the impact of concern is any significant adverse economic impact on small entities, since the primary purpose of the regulatory flexibility analyses is to identify and address regulatory alternatives Awhich minimize any significant economic impact of the proposed rule on small entities.@ 5 U.S.C. Sections 603 and 604. Thus, an agency may certify that a rule will not have a significant economic impact on a substantial number of small entities if the rule relieves regulatory burden, or otherwise has a positive economic effect on all of the small entities subject to the rule. The EPA believes that because the Rule only requires assessment of environmental impacts the effects on any small entities will be limited primarily to the cost of preparing such an analysis and that the requirements are no greater than necessary to ensure that the United States will be in compliance with its international obligations under the Protocol and the Treaty. The costs are minimal because the types of activities currently being carried out typically are unlikely to have impacts that are more than minor or transitory assuming that activities will be carried out in accordance with the guidelines set forth in the ATCM Recommendation XVIII-1, Tourism and Non-Governmental Activities, the relevant provisions of other U.S. statutes, and Annexes II-V to the Protocol. Therefore, most activities are likely to need only IEE documentation, the cost of which is minimal as shown in Section 6 of this Supporting Statement and as presented in the Preamble to the Rule, Section V.D, Paperwork Reduction Act. Further, EPA has included provisions in the Rule which are available to all respondents, including small entities, which will have a positive effect by minimizing the cost, and reducing the paperwork burden, of such an analysis.


It has been EPA=s experience that respondents used the cost reduction provisions in the final regulations. The cost and paperwork reduction provisions in the Rule include: (1) material may be incorporated by referring to it in the environmental document with its content briefly described when the cited material is reasonably available to the EPA; (2) more than one proposed expedition by an operator may be included within one environmental document and may, if appropriate, include a single discussion of components of the environmental analysis which are applicable to some or all of the proposed expeditions; (3) one environmental document may also be used to address expeditions being carried out by more than one operator, provided that the environmental documentation includes the names of each operator for which the environmental documentation is being submitted pursuant to obligations under these regulations; and (4) one environmental document may be submitted by one or more operators for proposed expeditions for a period of up to five consecutive austral summer seasons, provided that the conditions of the multi-year environmental document, including the assessment of cumulative impacts, are unchanged. The multi-year provision also allows operators to update basic information and to provide information on additional activities to supplement the multi-year environmental document without having to revise and re-submit the entire document.13


In consideration of the timing requirements associated with the need to assist new operators who are unfamiliar with the regulations and its schedules, or to assist operators who have unanticipated amendments to their EIA documentation for a particular year, the Rule at Section 8.5(b) provides that EPA may waive or modify the deadlines of the Rule if EPA determines that an operator is acting in good faith and that circumstances outside the control of the operator created delays, provided that environmental documentation fully meets deadlines under the Protocol.


The Rule does not provide an exemption from coverage of the collection of information, or any part thereof. This is because the Rule only requires assessment of environmental impacts. This assessment is limited to the cost of preparing such an analysis and the requirements would be no greater than necessary to ensure that the United States will be in compliance with its international obligations under the Protocol and the Treaty.


5(d) COLLECTION SCHEDULE: The schedule for submittal of environmental documentation depends on the document to be submitted as described below. An operator could submit environmental documentation prior to these deadlines. In all cases, however, documents need to be submitted such that the schedule requirements for submitting draft CEEs to the Parties can be met by the United States.


Preliminary Environmental Review Memorandum (PERM): In accordance with the Rule at Section 8.6, a PERM needs to be submitted to EPA no less than 180 days before the proposed departure of the expedition.

$ EPA, in consultation with other interested Federal agencies, provides its comments to the operator within 15 days of receipt.

$ The operator then has 75 days to revise the PERM or prepare an IEE, if necessary. If an IEE is prepared and submitted within the 75 day response period, it is reviewed under the time frames for an IEE (see below). If a CEE is prepared, it is reviewed under the time frames for a CEE (see below.)

$ Within 30 days, if appropriate, EPA, with the concurrence of the National Science Foundation, provides notice to the operator that the environmental documentation does not meet the requirements of the Protocol and the provisions of the Rule.


Initial Environmental Evaluation (IEE): In accordance with the Rule at Section 8.7, an IEE needs to be submitted no fewer than 90 days before the proposed departure of the expedition.

$ EPA, in consultation with other interested Federal agencies, provides its comments to the operator within 30 days of receipt.

$ The operator then has 45 days to revise the IEE or prepare a CEE, if necessary. If a CEE is prepared, it would be reviewed under the time frames for a CEE (see below).

$ Within 15 days of receiving the final IEE from the operator or, if the operator does not provide a final IEE, within 60 days following EPA's comments on the original IEE, if appropriate, EPA, with the concurrence of the National Science Foundation, provides notice to the operator that the environmental documentation does not meet the requirements of the Protocol and the provisions of the Final Rule.


Comprehensive Environmental Evaluation (CEE): In accordance with the Final Rule at Section 8.8(b), operators need to submit a CEE.14

$ Within 15 days of receipt, EPA would: (1) send it to the Department of State for circulation to the Parties and Committee for Environmental Protection; and (2) publish notice of receipt and request for comments in the Federal Register.

$ EPA accepts public comments for 90 days following the published notice.

$ EPA, in consultation with other interested Federal agencies, provides its comments to the operator within 120 days following the Federal Register notice.

$ The operator then needs to submit a final CEE 75 days before commencement of the proposed activity in the Antarctic Treaty area.

$ Within 15 days of receiving the final CEE from the operator or, if the operator does not provide a final CEE, within 60 days prior to departure of the expedition, if appropriate, EPA, with the concurrence of the National Science Foundation, provides notice to the operator that the environmental documentation does not meet the requirements of the Protocol and the provisions of the Final Rule.

$ If EPA does not provide such notice, the operator would have met all requirements provided that procedures, which may include appropriate monitoring, are put in place to assess and verify the impact of the activity.

$ No later than 60 days before commencement of the proposed activity in the Antarctic Treaty area, EPA: (1) transmits the CEE, along with notice of any decisions by the operator, to the Department of State for circulation to the Parties, and (2) publishes notice of availability of the final CEE in the Federal Register.


Information to Assess and Verify Impacts: There is no set schedule requirements in the Final Rule for submitting information on measures to assess and verify environmental impacts. Operators provide the information to the National Science Foundation on a voluntary basis. Operators often specify this schedule within the environmental document for the expedition.


Reporting for Cases of Emergency: In accordance with the Final Rule at Section 8.10, within 15 days in cases of emergency, an operator needs to report notice of any activities which would have otherwise required preparation of a CEE to the Department of State, and a full explanation of the activities carried out must be provided within 45 days of those activities.


6. ESTIMATING THE HOURS AND COST BURDEN OF THE COLLECTION


6(a) ESTIMATING RESPONDENT BURDEN:


Exhibits 1A, 1B (including Table 1), and 1C present the estimated respondent (e.g., operator) hours and cost for the three possible levels of environmental documentation (e.g., PERM, IEE, CEE) and associated post-expedition assessment and verification procedures. Exhibit 1D presents the estimated respondent hours and cost for reporting for cases of emergency. Respondent burden tables were prepared for each type of environmental documentation since the effort should increase as an increasing level of environmental documentation is required; e.g., from PERM to IEE to CEE.


The model respondent used in the estimates is a nongovernmental, U.S.-based Antarctic tour ship operator.15 The estimated hours and cost for operators is based on the assumption that most environmental documentation submitted by operators will be IEEs. As stated in the Preamble to the Final Rule (Section III.D.3(b)), at a minimum, an IEE is typically the appropriate level of environmental documentation for proposed activities. The types of nongovernmental activities that are currently being carried out typically are unlikely to have impacts that are more than minor or transitory assuming that activities are carried out in accordance with the guidelines set forth in the ATCM, Recommendation XVIII-1, Tourism and Non-Governmental Activities, the relevant provisions of other U.S. statutes, and Annexes II-V to the Protocol. During the austral summer seasons the Rule has been in effect, IEEs have been submitted by operators as summarized in Figure 1. The following elements further discuss the assumptions factored into the estimated respondent hours and cost.


1. PERM Model for Respondent Submittals: For PERMs, the estimated hours and cost is based on the estimated time to comply with the Final Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.6, preliminary environmental review. The estimate assumes one week at 40 hours per week including revisions in response to any EPA comments. Assessment and verification procedures are not required at the PERM level of activity and documentation. Although one respondent per year is estimated for purposes of the cost calculations in Exhibit 1A, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with less than minor or transitory impacts may well be reduced to less than one respondent per year. In fact, during the seven austral summer seasons the Rule has been in effect, only one PERM has been submitted as the final document for an expedition.


2. IEE Model for Respondent Submittals: EPA has developed three models for IEEs that incorporate the estimated time to comply with the Final Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.7, initial environmental evaluation. The model also considers the experience with IEE documents received during the ten austral summer seasons the Rule has been in effect and burden estimates in the previous Supporting Statements for the ICRs for the Interim Final and Final Rules. The assumptions for EPA's IEE model include the following:


$ Figure 2 lists the potential respondents.

$ The maximum length for an IEE is about 200 pages including supplemental information.16

$ IEEs consist of "core" information with supplemental expedition-specific or other project-specific information (e.g., dates, landing sites, number of tours, etc.) attached or referenced.

$ For initial preparation of the "core" IEE, the estimate assumes four weeks, on average, at 40 hours/week, or about 160 hours, including revisions in response to EPA comments. This estimate assumes a full time effort during the four weeks, and that information will be incorporated by reference when appropriate.

$ The estimate assumes 5 hours for an operator to prepare and/or compile supplemental information.17

$ If appropriate, EPA anticipates operators will submit the "core" IEE in subsequent years with any necessary revisions (discussed below). An estimated one week at 40 hours/week is estimated to prepare this "revised" IEE for submittal in subsequent years. The estimate of 5 hours for preparation and/or compilation of supplemental information remains the same.

$ If appropriate, EPA anticipates operators will submit Amulti-year@ IEE documentation. In the initial year, this is anticipated to consist of a revised IEE with an estimated 40 hours associated preparation time and 5 hours for preparation and/or compilation of supplemental information. For the subsequent four consecutive years the multi-year@IEE can be submitted by an operator, for purposes of maximum burden estimation, 5 hours are estimated for preparation and/or compilation of the supplemental information.


$ The IEE level of documentation requires assessment and verification (A/V) procedures; 20 hours are estimated for preparation and/or compilation of this information.18

$ For an IEE that covers multiple operators, the hours and costs per operator are spread among the total number of operators; e.g., the more operators under one document, the lower the hours and costs to each individual operator.19


IEE Model 1 - Core IEE: The following estimate is based on EPA’s experience for the ten austral summer seasons the Rule has been in effect and considers the paperwork reduction options utilized by the operators. EPA anticipates five one-time core IEEs will be prepared for the three austral summer seasons this ICR renewal will be in effect. The operator hourly burden for preparation of a Core IEE is estimated as follows:


Prepare "core" IEE: 160 hrs/IEE x 5 IEEs = 800 hours

Prepare supplemental information: 5 hrs/operator x 5 operators = 25 hours

A/V procedures: 20 hrs/operator x 5 operators = 100 hours

TOTAL HOURS = 925 hours

TOTAL HOURS PER IEE (5 IEEs) = 185 hours

TOTAL HOURS PER OPERATOR (5 operators) = 185 hrs20


IEE Model 2 - Revised IEE: For purposes of maximum burden assessment, EPA anticipates that three present ship based tour operators will remain the same, and that these operators will continue to submit revised IEEs for the three austral summer seasons this ICR will be in effect. Updates are likely to include such items as dates of expeditions and changes in landing locations. Revisions could address items such as assessment of the potential impacts, including cumulative impacts, of modifications to the planned activities and any associated mitigation measures, or a reassessment of overall impacts for the expedition. Thus, for subsequent seasons, EPA assumes a reduced number of hours would be required for revision of the "core" IEE, and the hours for preparation of supplemental information will remain the same. The model for estimating respondent hourly burden for a Revised IEE is based on EPA’s experience for the ten austral summer seasons the Rule has been in effect and considers the paperwork reduction options utilized by the operators. The operator hourly burden for preparation of a Revised IEE is estimated as follows:


Prepare "Revised" IEE: 40 hrs/IEE x 3 IEEs = 120hours

Prepare supplemental information: 5 hrs/operator x 3 operators = 15 hours

A/V procedures: 20 hrs/operator x 3 operators = 60 hours

TOTAL HOURS = 195 hours

TOTAL HOURS PER IEE (3 IEEs) = 65 hours

TOTAL HOURS PER OPERATOR (3operators) = 65 hours21


Model 3 - Multi-Year IEE: Under the Final Rule, operators may choose to submit multi-year IEE documentation. Under this model, EPA assumes the operators will submit a Revised IEE in the initial year. The multi-year provision then allows operators to supplement the multi-year environmental document without having to revise and re-submit the entire document in order to update basic information as necessary, and to provide information on any new activities or revisions to the documented activities.


For purposes of demonstrating the full model for a multi-year IEE, EPA assumes nine multi-year IEEs will be submitted on behalf of 12 operators, and the operator hourly burden for preparation of a Multi-Year IEE is estimated as follows:22


Initial Year:

Prepare Revised IEE: 40 hrs/IEE x 9 IEEs = 360 hours

Prepare supplemental information: 5 hrs/operator x 12 ops x 1 year = 60 hours

A/V procedures: 20 hrs/operator x 12 ops x 1 year = 240hours

Four Subsequent Years for a Total of Five Consecutive Years:

Prepare supplemental information: 5 hrs/operator x 12 ops x 4 years = 240 hours

A/V procedures: 20 hrs/operator x 12ops x 4 years = 960 hours

TOTAL HOURS for 5-Year Period of Multi-Year IEE = 1860 hours

TOTAL HOURS PER YEAR (5 Years) PER IEE (9 IEEs) = 42 hours

TOTAL HOURS PER YEAR (5 Years) PER OPERATOR (12 operators) = 31 hours23


3. CEE Model for Respondent Submittals: For CEEs, the estimated hours and cost is based on the estimated time to comply with the Final Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.8, comprehensive environmental evaluation, and assumes an increased effort from that required for an IEE. The estimate assumes six (6) weeks at 40 hours per week, or 240 hours, including time for revisions in response to EPA's comments. The estimate assumes 60 hours to prepare assessment and verification information associated with the CEE level of activity and documentation. Further, although one respondent per year is estimated for purposes of the cost calculations in Exhibit 1C, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with more than minor or transitory impacts may well be reduced to less than one respondent per year. In fact, there were no CEEs submitted during the ten austral summer seasons the Rule has been in effect.


4. Emergency Reporting Model: Reporting for Cases of Emergency is based on the Final Rule at Section 8.10, Cases of emergency, which requires notice and reporting for activities taken in cases of emergency which would have otherwise required the preparation of a CEE. The estimate is based on reporting requirements only, not the actual cost of the emergency response action. The hours and cost estimate assumes one such emergency per 10 years. In fact, there were no such incidents during the ten austral summer seasons the Rule has been in effect.


6(b) ESTIMATING RESPONDENT COSTS

  1. ESTIMATING LABOR COSTS


Basis for Cost Estimates: The cost estimates are based on industry labor rates obtained during informal consultations with industry representatives and include overhead and fringe benefits. The three rates used in the calculations represent the rates provided by the industry representatives including $65/hour as a low, $75/hour as an intermediate, and $100/hour as a high. The $75/hour intermediate rate is used for summary purposes. See Part D for additional information on the consultations with affected respondents


Figures 2, 3, 4, 5, and 6 present the estimated Respondent labor cost for drafting the three possible levels of environmental documentation (e.g., PERM, IEE, CEE) and associated post-expedition assessment and verification information.




FIGURE 2. Respondent Labor Costs for PERM Model


Industry

Representatives Rate Hours Pay Rate/Hour Total Cost


High 40 $100.00 $4.000

Intermediate 40 75.00 3,000

Low 40 65.00 2,600




FIGURE 3. Respondent Labor Costs for IEE “Core” Model


Industry

Representatives Rate Hours Pay Rate/Hour Total Cost


High 185 $100.00 $18,500

Intermediate 185 75.00 13,875

Low 185 65.00 12,025





FIGURE 4. Respondent Labor Costs for “Revised” IEE Model


Industry

Representatives Rate Hours Pay Rate/Hour Total Cost


High 65 $100.00 $6,500

Intermediate 65 75.00 4,875

Low 65 65.00 4,225




FIGURE 5. Respondent Labor Costs for “Subsequent Years” IEE Model


Industry

Representatives Rate Hours Pay Rate/Hour Total Cost


High 30 $100.00 $3,000

Intermediate 30 75.00 2,250

Low 30 65.00 1,950




FIGURE 6. Respondent Labor Costs for CEE Model


Industry

Representatives Rate Hours Pay Rate/Hour Total Cost


High 300 $100.00 $30,000

Intermediate 300 75.00 22,500

Low 300 65.00 19,500






  1. ESTIMATING CAPITAL AND OPERATIONS AND MAINTENANCE COSTS


1. Capital/Start Up Costs: The EPA does not anticipate any capital or start up costs on the part of respondents to comply with the provisions of the Final Rule.24


2. O&M Costs: The EPA estimates the following operating and maintenance (O&M) costs associated with the paperwork requirements for respondents to comply with the provisions of the Final Rule.25 Assumptions and calculations used in EPA's O&M estimate for the three levels of environmental documentation are as follows:


PERMs. The assumptions used for the O&M estimates include:


$ PERMs are estimated to average 25 pages including any supplemental information.

$ One PERM submitted per year by one operator. In fact, during the thirteen austral summer seasons the Rule has been in effect, only one PERM has been submitted as the final documentation for an expedition.

$ Five copies of each PERM should be submitted.

$ Although not required, the model assumes operators will use express mail to submit PERM packages (e.g., original PERM and 5 copies).

$ PERMs do not require assessment/verification procedures.

$ The Final Rule does not require file storage or audits.



The estimated O&M costs for a PERM are calculated as follows:26


(1) Copying: 25 pages/PERM x 5 copies x $0.10/page = $12.50

(2) Mailing: 1 PERM package x $27/package = 27.00


Exhibit 1A incorporates double these estimated O&M costs in the estimated respondent burden and costs for PERMs for a three year period27 based on the assumption, for purposes of maximum cost calculation, the initial submittal will be revised and resubmitted.


IEEs. The assumptions used for the O&M estimates include:


$ Figure 2 lists the potential respondents.

$ The maximum length for an IEE is 200 pages including supplemental information. (See above: IEE Model for Respondent Submittals@)

$ Five copies of each IEE, including supplementary information, should be submitted.

$ Although not required, the model assumes operators will use express mail to submit IEE packages (e.g., original IEE and 5 copies).

$ Assessment/verification (A/V) information is estimated as 25 pages per operator.

$ Five copies of each A/V information package may be submitted.

$ Although not required, the model assumes operators will use express mail to submit A/V information packages (e.g., original and 5 copies).

$ The Final Rule does not require file storage or audits.



The estimated O&M costs for the three IEE models are calculated as follows:


Core IEE:

(1) Copying: 200 pages/Core IEE x 5 copies/IEE x $0.10/page = $100.00

10 pages/Supplemental Info. x 5 copies x $0.10/page = 5.00

25 pages/ A/V information x 5 copies x $0.10/page = 12.50

(2) Mailing: 1 Core@ IEE package x $27/package = 27.00

1 Supplemental Information package x $12/package = 12.00

1 A/V information package x $17/package = 17.00


Revised IEE:

(1) Copying: 200 pages/Revised IEE x 5 copies/IEE x $0.10/page = 100.00

10 pages/Supplemental Info. x 5 copies x $0.10/page = 5.00

25 pages/ A/V information x 5 copies x $0.10/page = 12.50

(2) Mailing: 1 Revised@ IEE package x $27/package = 27.00

1 Supplemental Information package x $12/package = 12.00

1 A/V information package x $17/package = 17.00


Model Multi-Year IEE:

(1) Copying: 200 pages/Revised IEE x 5 copies/IEE x $0.10/page = $ 100.00

10 pages/Supplemental Info. x 5 copies x $0.10/page = 5.00

25 pages/ A/V information x 5 copies x $0.10/page = 12.50

(2) Mailing: 1Revised IEE package x $27/package = 27.00

1 Supplemental Information package x $12/package = 12.00

1 A/V information package x $17/package = 17.00


Subsequent Year, Multi-Year IEE:

(1) Copying: 10 pages/Supplemental Info. x 5 copies x $0.10/page = 5.00

25 pages/ A/V information x 5 copies x $0.10/page = 12.50

(2) Mailing: 1 Supplemental Information package x $12/package = 12.00

1 A/V information package x $17/package = 17.00


Exhibit 1B, including Table 1B, incorporates the Subsequent Year, Multi-Year IEE estimated O&M costs in the estimated respondent hours and costs for IEEs per year. Over the next three years, all Multi-Year IEE submissions will follow the Multi-Year Model with a revised submission one year and two subsequent years where only supplemental information is filed. To calculate the O&M costs over the three year period for the Multi-Year IEEs, the costs of one Model Multi-Year and two Subsequent Years Multi-Years are averaged. The costs for the Model Multi-Year IEE are listed only to maintain information for purposes of the full Model. The O&M costs are doubled for the Core and Revised IEE submittals based on the assumption, for purposes of maximum cost calculation, the initial submission will be revised and resubmitted.



Table 3. Summary of the 3-Year Average O&M Costs for a PERM, the Three IEE Models, and a CEE




PERM



"Core" IEE



Revised IEE


Subsequent Year/ Multi-Year IEE



CEE


Copying: $ 25


Mailing: $ 54


TOTAL $ 79


Copying: $218


Mailing: $ 83


TOTAL $301


Copying: $218


Mailing $83


TOTAL $301


Copying: $ 85


Mailing: $ 47


TOTAL $ 132


Copying: $325


Mailing: $ 81


TOTAL $406

NOTE: The O&M costs for the Multi-Year IEE include the Subsequent Year, Multi-Year IEE costs for purposes of this three-year ICR renewal.


CEEs. The assumptions used for the O&M estimates include:

$ CEEs are estimated to average 300 pages including any supplemental information.

$ One CEE submitted per year by one operator. In fact, there were no CEEs submitted during the ten austral summer seasons the Rule has been in effect.

$ Five copies of each CEE should be submitted.

$ Although not required, the model assumes operators will use express mail to submit CEE packages (e.g., original CEE and 5 copies).

$ Assessment/verification (A/V) information is estimated as 50 pages per operator.

$ Five copies of each A/V information package should be submitted.

$ Although not required, the model assumes operators will use express mail to submit A/V information packages (e.g., original and 5 copies).

$ The Final Rule does not require file storage or audits.

$ Mailing charges have been increased to reflect inflation.


The estimated O&M costs for a CEE are calculated as follows:


(1) Copying: 300 pages/CEE x 5 copies x $0.10/page = $150.00

50 pages/ A/V information x 5 copies x $0.10/page = 25.00

(2) Mailing: 1 CEE package x $32/package = 32.00

1 A/V information package x $17/package = 17.00


Exhibit 1C incorporates these estimated O&M costs in the estimated respondent hours and cost for CEEs for a three year period.28 The O&M costs are doubled for the CEE submission based on the assumption, for purposes of maximum cost calculation, the initial submission will be revised and resubmitted.


Reporting for Cases of Emergency. The assumptions used for the O&M estimate include:


$ Emergency Reports are estimated to average 300 pages including supplemental information.

$ The model assumes assessment and verification procedures will be undertaken with 50 pages submitted.

$ Five copies of the assessment and verification information should be submitted.

$ Although not required, the model assumes operators will use express mail to submit Emergency Reports and assessment and verification information.

$ The O&M costs are first calculated to indicate the annual cost assuming one such emergency per 10 years. (See: Item 6, above, Emergency Reporting Model)

$ The Final Rule does not require file storage or audits.

$ Mailing charges have been increased to reflect inflation.


(1) Copying:

Emergency Report 300 pages/report x 5 copies x $0.10/page = $150.00

A/V Information 50 pages/package x 5 copies x $0.10/page = 25.00


(2) Mailing:

Emergency Report 1 Emergency Report x $32/report = 32.00

A/V Information 1 A/V package x $17/package = 17.00

O&M for Emergency Reporting in one year = 224.00

Averaged annual Emergency Reporting assuming one emergency per 10 years = 23.00


Exhibit 1D incorporates these estimated O&M costs in the estimated Emergency Response respondent hours and costs for years one through three.


  1. ANNUALIZING CAPITAL COSTS


The EPA does not anticipate any capital or start up costs on the part of respondents to comply with the provisions of the Final Rule.29 Therefore, there is no need to annualize capital costs if there is not any capital or start up costs.


6(c) ESTIMATING AGENCY BURDEN AND COST:


Exhibits 2A, 2B (including Table 2), and 2C present the estimated Federal government hours and cost for processing and reviewing the three possible levels of environmental documentation (e.g., PERM, IEE, CEE) and associated post-expedition assessment and verification information. Exhibit 2D presents the estimated Federal government hours and cost for activities associated with reporting for cases of emergency, and Exhibit 2E presents the estimated Federal government hours and cost for coordinating the review of information received from other Parties.30 The Final Rule does not involve or otherwise impact governmental jurisdictions including state, local or tribal governments.


Federal government burden tables were prepared for each type of environmental documentation since the effort should increase as an increasing level of environmental documentation is required; e.g., from PERM to IEE to CEE. As with the respondents, the model used for the Federal government estimates is a nongovernmental, U.S.-based ship-based tour operator, and the estimated hours and cost for the Federal government is based on the assumption that most environmental documentation submitted by operators will be IEEs.


The following assumptions were factored into the hourly burden and cost estimates for the Federal government:

1. Number of Respondents: The Federal government estimates are consistent with the respondent (i.e., operators) estimates with regard to the number of respondents and the projected numbers of environmental documents that may be submitted (see: Section 6(a)).


2. Basis for Cost Estimates: The cost estimates are based on consideration of a "model" government employee for activities associated with the Final Rule. Two Federal employee "models" were developed: (1) “Federal Model 1" is used for costing activities more technical in nature, and (2) "Federal Model 2" is used for costing activities that are more administrative.31


"Federal Model 1" - Technical Activities: The skill mix used for technical activities includes Managers, Technical Staff (such as scientists, environmental protection specialists, and other such technical classifications), Attorneys, and Clerical Support. Relative hours are listed in whole hour increments. The development of the cost per hour for "Federal Model 1" is as follows:32



FIGURE 7. Federal Model 1


Job Estimate of Estimated time Pay Rate

Classification Relative Hours Per Hour (Based on GS-Level) Cost/Hour


Manager 2 0.16 $84.02 for GS 15 $13.44

Technical 8 0.68 71.41 for GS 14 48.56

Attorney 1 0.08 71.41 for GS-14 5.71

Clerical 1 0.08 28.65 for GS-07 2.29

_________ _________ __________

12 hours 1.00 hour $70.00/hour


"Federal Model 2" - Administrative Activities: The skill mix used for administrative activities includes Managers, Technical Staff (such as scientists, environmental protection specialists, and other such technical classifications), Attorneys, and Clerical Support. Relative hours are listed in whole hour increments. The development of the cost per hour for "Federal Model 2" is as follows:



FIGURE 8. Federal Model 2


Job Estimate of Estimated Pay Rate

Classification Relative Hours Time Per Hour (Based on GS-Level) Cost/Hour


Manager 1 0.20 $84.02 for GS 15 $16.81

Technical 1 0.20 71.41 for GS 14 14.28

Attorney 0 0.00 71.41 for GS-14 0.00

Clerical 3 0.60 28.65 for GS-07 17.19

__________ _________ __________

5 hours 1.00 hour $48.28/hour


Based on EPA’s experience for the thirteen austral summer seasons the Rule has been in effect, EPA estimates that the administrative costs have been no more than about 2% of the total estimated costs for the Federal government. Because this percentage is so low, the Federal government costs in Exhibit 2A through 2E are all calculated at the $70/hour rate for technical activities. The margin of difference would be as follows:


Amount for technical activities Amount for administrative activities

For $ 1,000 $ 980 $ 20

For $ 5,000 $4,900 $100

For $10,000 $9,800 $200


3. PERM Model for Review of Submissions: For PERMs, the respondent needs to comply with the Final Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.6, preliminary environmental review. The hourly burden for Federal government review of a PERM is estimated to be 25% of the respondent's time to prepare a PERM, or 10 hours, plus an additional 2 hours for administrative activities. Assessment and verification procedures are not required at the PERM level of activity and documentation. Although one respondent per year is estimated for purposes of the cost calculations in Exhibit 2A, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with less than minor or transitory impacts may well be reduced to less than one respondent per year. In fact, only two PERMs has been submitted as the final documentation for expeditions during the thirteen austral summer seasons the Rule has been in effect.


4. IEE Model for Review of Submissions: For IEEs, the respondent needs to comply with the Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.7, initial environmental evaluation. Under the Final Rule (see Figure 1), EPA assumes operators would submit IEEs. Operators can choose to submit a Core or Revised or a Multi-Year IEE as discussed for the respondents in Section 6(a). Under the Multi-Year IEE model, EPA assumes the operators, as applicable, would submit a Revised IEE in the initial year and, for purposes of maximum burden estimation, supplemental information for the subsequent four years. Over the next three years, all Multi-Year IEE submissions will follow the Multi-Year Model with a revised submission one year and two subsequent years where only supplemental information is filed. EPA assumes sixteen operators will submit eight multi-year IEEs.33 EPA has developed a model for Federal government review of the three models for IEEs. A detailed discussion of the "Model for Federal Government Review of IEEs" is presented Section 6(c).


5. CEE Model for Review of Submissions: For CEEs, the respondent needs to comply with the Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.8, comprehensive environmental evaluation. The hourly burden for Federal government review of a CEE is estimated to be 50% of the respondent's time to prepare a CEE, or 120 hours, plus an additional 15 hours for administrative activities. The hourly burden for review of assessment and verification information is estimated to be 50% of the respondent's time to prepare the assessment and verification information, or 30 hours. Although one respondent per year is estimated for purposes of the cost calculations in Exhibit 2C, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with more than minor or transitory impacts may well be reduced to less than one respondent per year. In fact, there were no CEEs submitted during the ten austral summer seasons the Rule has been in effect.


6. Reviewing Emergency Reports: Reporting for Cases of Emergency is based on the Final Rule at Section 8.10, Cases of Emergency, which would require operator notice and reporting for activities taken in cases of emergency which would have otherwise required the preparation of a CEE. The estimated hourly burden for Federal government review of an Emergency Report is estimated to be 50% of the respondent's time to prepare a CEE,34 or 120 hours, and 50% of the respondent's time to prepare the assessment and verification information for an emergency, or 30 hours, for review of this information. An additional 15 hours are assumed for notifying the Parties and for administrative activities. As with the respondents, the Federal government hours and cost estimate assumes one such emergency per 10 years.


7. Capital/Start Up Costs: The EPA does not anticipate any capital or start up costs on the part of the Federal government to comply with the provisions of the Final Rule.


8. O&M Costs: The EPA estimates the following operating and maintenance (O&M) costs associated with the paperwork requirements for the Federal government to comply with the provisions of the Final Rule. Assumptions and calculations used in EPA's O&M estimate for the three levels of environmental documentation are as follows:


PERMs. The assumptions used for the O&M estimates include:


$ PERMs are estimated to average 25 pages including any supplemental information.

$ One PERM submitted per year by one operator. In fact, during the ten austral summer seasons the Rule has been in effect, only one PERM has been submitted as the final environmental documentation.

$ Six copies of each PERM are needed for Federal government reviewers.

$ PERMs do not require assessment/verification procedures.

$ File storage and maintenance is estimated at $10 per PERM.


The estimated O&M costs for a PERM are calculated as follows:


(1) Copying: 25 pages/PERM x 6 copies x $0.10/page = $15.00

(2) File Storage: 1 PERM package x $10/package = 10.00


Exhibit 2A incorporates these estimated O&M costs in the estimated Federal government hours and costs for PERMs for a three year period.35 The O&M cost for copying is doubled based on the assumption, for purposes of maximum cost calculation, that the initial submission will be revised and resubmitted for Federal government review.


IEEs. The assumptions used for the O&M estimates include:


$ Figure 2 lists the potential respondents.

$ The maximum length for an IEE is 200 pages including supplemental information. (See: Section 6(a)).

$ Six copies of each IEE are needed for Federal government reviewers.

$ Assessment/verification (A/V) information packages are estimated as 25 pages per operator.

$ Six copies of each A/V information package are needed for Federal government reviewers.

$ File storage and maintenance is estimated at $10 including storage for an IEE package and the associated A/V information.


The estimated O&M cost for the three IEE models are calculated as follows:


Core IEE:

(1) Copying: 200 pages/Core IEE x 6 copies/IEE x $0.10/page = $120.00

10 pages Supplemental Info. x 6 copies x $0.10/page = 6.00

25 pages/ A/V information x 6 copies x $0.10/page = 15.00

(2) File Storage: 1 IEE package x $10/package = 10.00


Revised IEE:

(1) Copying: 200 pages/Revised IEE x 6 copies/IEE x $0.10/page = $120.00

10 pages Supplemental Info. x 6 copies x $0.10/page = 6.00

25 pages/ A/V information x 6 copies x $0.10/page = 15.00

(2) File Storage: 1 IEE package x $10/package = 10.00


Subsequent Year, Multi-Year IEE:

(1) 10 pages Supplemental Info. x 6 copies x $0.10/page = 6.00

25 pages/ A/V information x 6 copies x $0.10/page = 15.00

(2) File Storage: 1 IEE package x $10/package = 10.00


Exhibit 2B, including Table 2B, incorporates these estimated O&M costs in the estimated Federal government hours and costs for IEEs per year for a following three-year period based as summarized in Table 4.36 Over the next three years, all Multi-Year IEE submissions will require a revised submission one year and two subsequent years where only supplemental information is filed. To calculate the O&M costs over the three year period for the Multi-Year IEEs, the costs of one Model Multi-Year and two Subsequent Years Multi-Years are averaged. The O&M costs for copying the core and revised IEE submissions are doubled based on the assumption, for purposes of maximum cost calculation, the initial submission will be revised and resubmitted for Federal government review.



Table 4. Summary of the 3-Year Average O&M Costs for a PERM, the Three IEE Models, and a CEE




PERM



Core IEE



Revised IEE


Subsequent Year, Multi-Year IEE



CEE


Copying: $ 30

File

Storage: $ 10



TOTAL $ 40


Copying: $261

File

Storage: $ 10



TOTAL $271


Copying: $261

File

Storage : $ 10



TOTAL $271


Copying: $ 101

File

Storage: $ 10



TOTAL $ 111


Copying: $1740

File

Storage: $ 10

FedReg: $ 326


TOTAL $2076


CEEs. The assumptions used for the O&M estimates include:


$ A Federal Register Notice of Availability must be published for receipt of each draft and final CEE; publication costs are estimated at $163 per column and two columns are assumed to be needed.

$ CEEs are estimated to average 300 pages including any supplemental information.

$ One CEE submitted per year by one operator. In fact, during the ten austral summer seasons the Rule has been in effect, no CEEs were submitted.

$ Six copies of each CEE are needed for Federal government reviewers.

$ Forty-five copies of each CEE are needed for distribution to Parties and the Committee for Environmental Protection.

$ Assessment/verification (A/V) information is estimated as 50 pages per operator.

$ Six copies of each A/V information package is needed for Federal government reviewers.

$ File storage and maintenance is estimated at $10 including storage for a CEE package and associated A/V information.

$ Federal Register publication charges have been increased to reflect inflation.


The estimated O&M costs for a CEE are calculated as follows:


(1) Copying: 300 pages/CEE x 6 copies x $0.10/page = $ 180.00

300 pages/CEE x 45 copies x $0.10/page = 1,350.00

50 pages/ A/V information x 6 copies x $0.10/page = 30.00

(2) FR Publication: 1 CEE x $163/column x 2 columns = 326.00

(3) File Storage: 1 CEE package x $10/package = 10.00


Exhibit 2C incorporates these estimated O&M costs in the estimated Federal government hours and costs for CEEs for a three year period.37 The O&M cost for copying is doubled based on the assumption, for purposes of maximum cost calculation, that the initial submittal will be revised and resubmitted for Federal government review and that both the draft and final CEEs will also be provided to the Parties.


Reporting for Cases of Emergency. The assumptions used for the O&M estimates include:


$ Emergency Reports are estimated to average 300 pages including supplemental information.

$ Six copies of each report are needed for Federal government reviewers.

$ Forty-five copies of each report are needed for distribution to Parties and the Committee for Environmental Protection.

$ Assessment/verification (A/V) information is estimated as 50 pages per incident.

$ Six copies of each A/V information package needed for Federal government reviewers.

$ The O&M costs are first calculated to indicate the annual cost assuming one such emergency per 10 years.

$ File storage and maintenance is estimated at $10 including storage for the emergency report package and associated A/V information.


(1) Copying: 300 pages/report x 6 copies x $0.10/page = $ 180.00

300 pages/report x 45 copies x $0.10/page = 1,350.00

50 pages/ A/V information x 6 copies x $0.10/page = 30.00

(2) Store File: 1 report package x $10/package = 10.00


Exhibit 2D incorporates these estimated O&M costs in the estimated Federal government hours and costs for emergency reports for a three year period.38


9. Coordinating Review of Other Parties' Documents: In accordance with the Final Rule at Section 8.12, the Department of State would be responsible for the coordination of the review of documents received from other Parties. There is no respondent burden associated with Section 8.12. Exhibit 2E provides the Federal government hourly burden and cost estimate based on Employee Model 1 and the O&M assumptions and estimates below. It is not possible to predict what may be received from another Party in any given year, and since there is no respondent burden associated with Section 8.12, hours and costs for a three year period are not provided beyond those estimates listed in Exhibit 2E.39


The assumptions used for the O&M estimates include:


$ A Federal Register Notice of Availability must be published for receipt of each draft CEE; publication costs are estimated at $163 per column and two columns are assumed to be needed.

$ Draft and Final CEEs received from other Parties are estimated to average 300 pages including supplemental information.

$ Other documents (e.g., description of national procedures, significant monitoring information) received from other Parties are estimated to average 50 pages.

$ Annual lists of IEEs are estimated to average 10 pages.

$ Six copies of each document are needed for Federal government reviewers and four copies for the public.

$ File storage and maintenance is estimated at $10 including storage for the sum total of any such documents received.


(1) Copying: 300 pages/draft CEE x 10 copies x $0.10/page = $300.00

300 pages/final CEE x 10 copies x $0.10/page = 300.00

50 pages/other x 10 copies x $0.10/page = 50.00

10 pages/IEE list x 10 copies x $0.10/page = 10.00

(2) FR Pub: 1 CEE x $163/column x 2 columns = 326.00

(3) Store File: 1 set of reports from Parties x $10/set = 10.00




As noted in the assumptions above for both the respondents and the Federal government, EPA assumes that most environmental documentation submitted under the Final Rule will be IEEs. Based on experience during the thirteen austral summer seasons the Rule has been in effect, and the assumption that operators will continue to employ the paperwork reduction provisions in the Final Rule, including the provision for multi-year documentation, EPA has developed a model for Federal government review of IEEs based on three types of IEE documentation: (1) "Core" IEE, (2) "Revised" IEE, and (3) "Multi-Year" IEE.




The hourly estimates for activities associated with Environmental Documentation in Exhibit 2B are based on experience during the thirteen austral summer seasons the Rule has been in effect and the anticipated degree of consultation with other interested Federal agencies. The calculations include the estimated technical review time for the three IEE models, the estimated technical hours per Federal review, and the Federal agencies participating in the review process and their relative level of participation.


1. Estimated Hours for Technical Review of an IEE: This estimate includes the following assumptions consistent with those in the respondents' estimated burden (Section 6(a)) and consideration of the experience under the ten austral summer seasons the Rule has been in effect:


$ Section 6(a), including Figure 2, lists the potential respondents.

$ The maximum length for an IEE is about 200 pages including supplemental information.

$ An IEE consists of "core" information with supplemental expedition-specific (e.g., dates, landing sites, number of tours, etc.) or other project-specific information attached or referenced.

$ The core information requires a "Core IEE" review, and certain of the supplemental information not considered to be part of the "core" document (e.g., supplemental expedition-specific information for individual tour operators), requires a "Supplemental Information" review. A "Core IEE" review is estimated to be 50% of the respondent's time to prepare a "core" IEE, or 80 hours, and a "Supplemental Information" review is estimated to be 25% of the respondent's time to prepare the information, or about 1 hour per supplemental package of information not considered to be part of the "core" document. Review time for supplemental information considered to be part of the "Core IEE" and included by reference is included in the review time for the "Core IEE."

$ The time to review a "Revised IEE" is estimated to be 25% of the respondent's time to prepare a "core" IEE, or 40 hours, and a "Supplemental Information" review to take 1 hour per supplemental package of information not considered to be part of the "revised" document.

$ Operators may employ the multi-year provision whereby multi-year IEE documentation will be submitted. The multi-year provision also allows operators to update basic information and to provide information on additional activities to supplement the multi-year environmental document without having to revise and re-submit the entire document. Review of the initial multi-year document is assumed to be the same as review of a Revised IEE, e.g., 40 hours for the Revised IEE and, for purposes of maximum burden estimation, 1 hour for supplemental information. For the subsequent four years, the annual advance notice and confirmation that the conditions of the multi-year document are unchanged is estimated to take 10 hours per IEE.

$ The IEE level of documentation requires assessment and verification (A/V) procedures. The hourly burden for review of A/V information is estimated to be 75% of the respondent's time to prepare the A/V information, or 15 hours per information package.

$ For an IEE that covers multiple operators, the hours and costs per operator for reviews are spread among the total number of operators; e.g., the more operators under one document, the lower the hours and costs for each review on a per operator basis.40


IEE Model 1 - Core IEE: The following estimate is based on EPA’s experience for the thirteen austral summer seasons the Rule has been in effect and considers the paperwork reduction options utilized by the operators. EPA anticipates three one-time core IEEs will be prepared for the three austral summer seasons this ICR renewal will be in effect. The Federal government hourly burden for preparation of a Core IEE is estimated as follows:


Review "core" IEE 80 hrs/IEE x 3IEEs = 240 hours

Review supplemental information 1 hr/review x 3 operators = 3hours

Review of A/V information 15 hrs/A/V pkg x 3 operators = 45 hours

TOTAL HOURS = 288 hours

TOTAL HOURS PER IEE (5 IEEs) = 96 hours

TOTAL HOURS PER OPERATOR (5 operators) = 96 hrs41


IEE Model 2 - Revised IEE: For purposes of maximum burden assessment, EPA assumes that three present ship-based tour operators will remain the same, and that these operators will continue to submit revised IEEs for the three austral summer seasons this ICR will be in effect. Updates are likely to include such items as dates of expeditions and changes in landing locations. Revisions could address items such as assessment of the potential impacts, including cumulative impacts, of modifications to the planned activities and any associated mitigation measures, or a reassessment of overall impacts for the expedition. Thus, for subsequent seasons, EPA estimates the government review time to be 25% of the respondent's time to prepare a "core" IEE, or 40 hours, and the hours for review of supplemental information will remain the same.42 The model for estimating respondent hourly burden for a ARevised@ IEE is based on EPA=s experience under the Rule and considers the paperwork reduction options employed by the operators. The operator hourly burden for preparation of a ARevised@ IEE is estimated as follows:



Review "revised" IEE 40 hrs/IEE x 3 IEEs = 120 hours

Review supplemental information 1 hr/review x 3 operators = 3 hours

Review of A/V information 15 hrs/A/V pkg x 3 operators = 45 hours

TOTAL HOURS = 168 hours

TOTAL HOURS PER IEE (3 IEEs) = 56 hours

TOTAL HOURS PER OPERATOR (3 operators) = 56 hrs43


Model 3 - Multi-Year IEE: Under the Final Rule, operators may also choose to submit multi-year IEE documentation. Under this model, EPA assumes the operators will submit a Revised IEE in the initial year. The multi-year provision then allows operators to supplement the multi-year environmental document without having to revise and re-submit the entire document in order to update basis information as necessary, and to provide information on any new activities or revisions to the documented activities.


EPA assumes twelve operators may submit "multi-year" IEEs, and the Federal government hourly burden for review of the "Multi-Year" IEE will require review at the Revised IEE level of review (e.g., 40 hours) and 1 hour for supplemental information. Review also includes 15 hours for A/V information. In subsequent years, for purposes of maximum burden estimation, 2 hours per IEE is estimated for review of supplemental information and 15 hours for A/V information. The Federal government hourly burden is estimated as follows for review of "Multi-Year" IEEs:44


Initial Year:

Review Revised IEE: 40 hrs/IEE x 9 IEEs x 1 yr = 360 hours

Review supplemental information: 1 hr/operator x 12 ops x 1 year = 12 hours

Review A/V information: 15 hrs/operator x 12 ops x 1 year = 180 hours

Four Subsequent Years for a Total of Five Consecutive Years:

Review supplemental information: 1 hr/operator x 12 ops x 4 years = 48 hours

Review A/V information: 15 hrs/operator x 12 ops x 4 years = 720 hours

TOTAL HOURS for 5-Year Period of Multi-Year IEE = 1320 hours

TOTAL HOURS PER YEAR (5 Years) PER IEE 9 IEEs) = 29 hours

TOTAL HOURS PER YEAR (5 Years) PER OPERATOR (12 operators) = 22 hours45


2. Estimated Technical Hours by Federal Agency for Review of an IEE: EPA has used and would continue to use a "Principal Reviewer/Associate Reviewer" process to review environmental documentation submitted by operators. OFA would serve as the Principal Reviewer. Associate Reviewers may include representatives from program offices within EPA and other Federal agencies with an interest in Antarctica. The interested Federal agencies are listed in Section 5(a). Based on experience during the ten austral summer seasons the Rule has been in effect and the anticipated consultation needs under the Final Rule, the following calculations spread amongst the Federal agencies the 96 total hours per ACore@ IEE review, the 56 total hours per ARevised@ IEE review, and the 16 total hours per ASubsequent Year, Multi-Year IEE.


Core IEEs Revised IEEs Subseq.Yrs, Multi-Year IEEs


Federal

Agency




Relative

Time/Hr


x 96

Hrs



Hrs




Relative Time/Hr


x 56

Hrs



Hrs




Relative

Time/Hr


x 40

Hrs



Hrs


EPA

NSF

DOS

Others




0.49

0.35

0.15

0.01


x 96

x 96

x 96

x 96


47

34

14

1




0.50

0.35

0.15

0.00


x 56

x 56

x 56

x 56


28

20

8

0




0.50

0.40

0.10

0.00


x 40

x 40

x 40

x 40


20

16

4

0


Totals




1.00




96




1.00




56




1.00




40

Others may include: USCG, NOAA, MMC and DOJ


The model further assumes that 2/3 of the time for review of each document applies to the draft IEE, and 1/3 of the time to the final IEE:






Core IEEs



Revised IEE


"Subsequent Years,

Multi-Year IEE


Review Hours per Draft


64


37


27


Review Hours per Final


32


19


13


Total Hours


96


56


40


The hours are then spread amongst the Federal agencies as follows:


Core IEE Revised IEE Subseq.Yrs, Multi-Year IEE

Draft Final Draft Final Draft Final


EPA

NSF

DOS

Others


.49

.35

.15

.01


31

22

10

1


16

11

5

0




.50

.35

.15

.00


18

13

6

0


10

7

2

0




.50

.35

.15

.00


13

11

3

0


6

6

1

0


Totals




64


32






37


19






27


13


In Exhibits 2A through 2E for the "Estimated Federal Government Hours and Cost," the total hours listed for the Government hours/year are assumed to include the spread of hours across the Federal agencies as calculated above. The costs in Exhibits 2A through 2E are calculated at the $65/hour rate for technical activities as discussed in Section 6(b), item 2.


6(d) ESTIMATING RESPONDENT UNIVERSE AND TOTAL BURDEN AND COSTS:

Number of Respondents: Based on EPA=s experience during the thirteen austral summer seasons the Rule has been in effect (see Figure 1), for purposes of this ICR renewal, the total number of respondents is estimated as eighteen as delineated in Figure 9. This estimate includes 15 repeat operators who are expected to submit new or revised or multi-year IEE documentation, and three new operators who are expected to submit new IEEs.



FIGURE 9. Estimated Respondents and Anticipated Level of EIA Documentation Considering EPA=s Experience Under the Rule


Operators Number of Operators

U.S.-based IAATO-member tour operators 11 Peninsular Area

U.S.-based IAATO-member tour operators 1 Ross Sea Area

U.S.-based IAATO-member tour operators 1 Continental Area

U.S.-based non-IAATO member tour operators 0 Peninsular Area

U.S.-based privately funded researcher 2

U.S.-based possible new respondents 3

TOTAL ESTIMATED 18


Exhibit 3 is the summary of the estimated hours and costs for respondents and the Federal government. This summary compiles the totals for the respondents (Exhibits 1A, 1B including Table 1, 1C, and 1D) and Federal government (Exhibits 2A, 2B including Table 2, 2C, and 2D) for each level of environmental documentation.46 Chart 2 in Exhibit 3 further summarizes for respondents and the Federal government the hours and costs for the most likely documentation scenario for the 3-year life of this ICR renewal, namely, a "Multi-Year" IEE which includes for the initial year a "Revised" IEE and "Subsequent Year, Multi-Year" IEE documentation for the two subsequent years. Exhibit 3 is annualized over a three year period by assuming a 3.5% escalation rate per year, the assumed Consumer Price Index (CPI) escalation rate.47


Based on the reporting by operators for the thirteen austral summer seasons during the time the Rule has been in effect under an OMB-approved ICR and EPA's understanding of the types of nongovernmental activities likely to continue to be undertaken by U.S.-based operators in Antarctica, EPA anticipates that the most likely scenario during the three-year renewal period this information collection will be in effect consists of the following:


$ Eighteen operators will likely plan expeditions to Antarctica and will submit environmental documentation including assessment and verification information. Thirteen will likely be repeat operators with annual expeditions, and five operators may submit new documentation. These three may include new operators planning annual expeditions and operators of one-time only expeditions.

$ Three of the 15 repeat operators with annual expeditions will submit revised IEEs.

$ It was assumed that 12 of the 15 repeat operators would submit new Multi-Year IEEs, including a "Revised" IEE in the initial year and "Subsequent Year, Multi-Year" IEE documentation for the two subsequent years.

$ No CEEs have been submitted as the final documentation during the past thirteen austral seasons and only two PERMs has been submitted during this time-frame. No CEEs or PERMs are anticipated during the effective period for this ICR renewal.

$ There were no emergencies requiring emergency reporting during the ten austral summer seasons the Rule has been in effect, and none are expected to occur during the effective period for this ICR renewal.

$ Other than receipt of the annual list of IEEs, there is no way to anticipate receipt of environmental documents from the Parties on an annual basis or during the effective period for this ICR renewal. There is no burden to the respondents associated with receipt of documents from the Parties. Therefore, there are no burden estimates associated with coordinating review of information received from other Parties included in the burden summary.

$ The Consumer Price Index (CPI) is estimated to be 3.5% for the subsequent years and is incorporated into the cost calculations for these years.


Based on the above assumptions, Chart 3 in Exhibit 3 summarizes the estimated hours and costs for the respondents and the Federal government for the 3-year period of this ICR renewal. This summary assumes 18 operators per year with 3 new operators and 15 repeat operators each year. For the 15 repeat operators, the assumptions are that three will prepare "Revised" IEEs and 12 will prepare "Multi-Year" IEEs.


As summarized in Chart 3, for the estimated 18 operators submitting environmental documentation under the Final Rule during this ICR renewal period, the annual total hours for the 18 operators is estimated to be 1,254 hours, and the annual total hourly burden per operator is estimated to be 70 hours. These annual totals reflect submission of different levels of documentation by the 18 operators. The estimated annual average time per respondent ranges from 42 to 185 hours depending on the level of environmental documentation and the paperwork reduction provisions employed by the respondent.


As summarized in Chart 3, for the estimated 18 operators submitting environmental documentation under the Final Rule during this ICR renewal period, the annual total cost for the 18 operators is estimated to be $100,575, and the annual total cost burden per operator is estimated to be $5,588. These annual totals reflect submission of different levels of documentation by the 18 operators. The estimated annual average per respondent ranges from $3,372 to $14,678 depending on the level of environmental documentation and the paperwork reduction provisions employed by the respondent.


As summarized in Chart 3, for the estimated 18 operators submitting environmental documentation under the Final Rule during this ICR renewal period, the annual total hours and cost for the Federal government is estimated as 804 hours and $61,515. The annual total hours and cost per operator for the Federal government is estimated as 45 hours and $3,418. These annual totals reflect submission of different levels of documentation by the 18 operators. The estimated annual average hours and cost per respondent ranges from 29 hours and $2,224 to 96 hours and $7,254 depending on the level of environmental documentation and the paperwork reduction provisions employed by the respondent.


Exhibit 4 summarizes the Respondent and Agency estimated O&M costs as well as an O&M breakout within the total cost burden.



6(e) BOTTOM LINE BURDEN HOURS AND COST TABLES:


  1. RESPONDENT TALLY


TOTAL ESTIMATED RESPONDENT BURDEN AND COST SUMMARY



Number of Respondents

Total Hours Per Year

Total Labor Cost Per Year

Total Annual O&M Costs

Core”

3

555

$43,131

$903

Revised”

3

195

$15,174

$903

Multi-Year”

12

504

$38,880

$1,584

Total

18

1,254

$97,185

$3,390


  1. THE AGENCY TALLY


TOTAL ESTIMATED AGENCY BURDEN AND COST SUMMARY



Number of Respondents

Total Hours Per Year

Total Labor Cost Per Year

Total Annual O&M Costs

Core”

3

288

$20,949

$813

Revised”

3

168

$12,252

$813

Multi-Year”

12

348

$25,356

$1,332

Total

18

804

$58,557

$2,958


  1. VARIATIONS IN THE BOTTOM LINE

There is no anticipation of significant variation (>25%) in the annual respondent reporting/recordkeeping burden or cost over the course of the clearance period request.



6(f) REASONS FOR CHANGE IN BURDEN


The current inventory approved by the Office of Management and Budget (OMB) for the annual reporting and recordkeeping hourly burden is 1,708 hours. The total 3-year estimated hourly burden of 3,762 hours for the anticipated 18 operators represents an annual reporting and recordkeeping hourly burden of 1,254 hours, or 70 hours per operator for this 3-year renewal period. This decreased adjustment to the annual reporting and recordkeeping hourly burden is 454 hours. This decreased adjustment is the result of a change to the level of environmental documentation EPA anticipates the operators will submit.


6(g) BURDEN STATEMENT


Burden Statement: The annual public reporting and recordkeeping burden for this collection of information is estimated to average 1,254 hours annually, or 70 hours per response. This hourly burden reflects annual submission of different levels of environmental documentation by an anticipated 18 respondents (e.g., U.S.-based nongovernmental operators). Burden means the total time, effort, or financial resources expended by persons to generate, maintain, retain, or disclose or provide information to or for a Federal agency. This includes the time needed to review instructions; develop, acquire, install, and utilize technology and systems for the purposes of collecting, validating, and verifying information, processing and maintaining information, and disclosing and providing information; adjust the existing ways to comply with any previously applicable instructions and requirements; train personnel to be able to respond to a collection of information; search data sources; complete and review the collection of information; and transmit or otherwise disclose the information. An agency may not conduct or sponsor, and a person is not required to respond to, a collection of information unless it displays a currently valid OMB control number. The OMB control numbers for EPA's regulations are listed in 40 CFR part 9 and 48 CFR chapter 15.

To comment on the Agency's need for this information, the accuracy of the provided burden estimates, and any suggested methods for minimizing respondent burden, including the use of automated collection techniques, EPA has established a public docket for this ICR under Docket ID Number EPA-HQ-OECA-2007-0468, which is available for online viewing at www.regulations.gov, or in person viewing at the Enforcement and Compliance Docket and Information Center in the EPA Docket Center (EPA/DC), EPA West, Room 3334, 1301 Constitution Avenue, NW, Washington, D.C. The EPA Docket Center Public Reading Room is open from 8:30 a.m. to 4:30 p.m., Monday through Friday, excluding legal holidays. The telephone number for the Reading Room is (202) 566-1744, and the telephone number for the Enforcement and Compliance Docket and Information Center is (202) 564-1752. An electronic version of the public docket is available at www.regulations.gov. This site can be used to submit or view public comments, access the index listing of the contents of the public docket, and to access those documents in the public docket that are available electronically. When in the system, select “search,” then key in the Docket ID Number identified above. Also, you can send comments to the Office of Information and Regulatory Affairs, Office of Management and Budget, 725 17th Street, NW, Washington, D.C. 20503, Attention: Desk Officer for EPA. Please include the EPA Docket ID Number EPA-HQ-OECA-2007-0468 and OMB Control Number 2020-0007 in any correspondence.

Exhibit 1A: PERMs - ESTIMATED RESPONDENT HOURS AND COST


Respondent Respondent Rate Range Capital/ O & M No. of Totals for Respondent Rate Range

ICR Activity: PERMs Hrs/Yr $65/hour $75/hour $100/hour Startup Cost Cost Respondents $65/hour $75/hour $100/hour


Environmental Documentation


1. Study the regulations

2. Search reference sources for existing information and compile information from company records

3. Prepare PERM and submit

4. Revise PERM in response to EPA's comments and submit

Post-Expedition Assessment & Verification

1. Prepare A/V information and submit - NOT REQUIRED FOR PERMs


40


$ 2,600


$ 3,000


$ 4,000


Env. Doc.

None





Post-Exp. A/V

None


Env. Doc.

Copying $ 25

Mailing 54

__________

$ 79


Post-Exp. A/V

Copying $ 0

Mailing 0

____________

$ 0

$ 79


1


$ 2,679


$ 3,079


$ 4,079


Totals for Respondent Rate Range Hours $65/hour $75/hour $100/hour

YEAR ONE 40 $ 2,679 $ 3,079 $ 4,079

YEAR TWO (3.5% estimated CPI escalation rate) 40 2,773 3,187 4,222

YEAR THREE (3.5% estimated CPI escalation rate) 40 2,870 3,298 4,370

TOTAL ESTIMATED POTENTIAL HOURS and COST: 120 $ 8,322 $ 9,564 $12,671

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR: 40 $ 2,774 $ 3,188 $ 4,224


Assumptions:


1. Exhibit 1A represents the estimated hours and cost for PERMs. In fact, during the thirteen austral summer seasons the Rule has been in effect, only two PERMs were submitted as the final documentation for an expedition. For purposes of estimating the potential maximum hours and cost associated with PERMs over the three-year life of the ICR, the three-year projection assumes submission of one PERM per year for each of the next three years. Although one respondent per year is estimated for purposes of the burden calculations, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with less than minor or transitory impacts may well be reduced to less than one respondent per year.

2. Estimates for preparation of a PERM are based on estimated time that would be needed to comply with the Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.6, preliminary environmental review.

3. The cost estimates are based on industry labor rates obtained during informal consultations with industry representatives and include overhead and fringe benefits. The three rates used in the calculations represent the rates provided by the industry representatives. The $75/hour intermediate rate is used for summary purposes. See Part D for additional information on the consultations with affected respondents.

4. Hours and cost associated with preparation of higher level EIA documentation, if necessary, is addressed in Exhibits 1B (IEEs) and 1C (CEEs).

Exhibit 1B: IEEs - ESTIMATED RESPONDENT HOURS AND COST


Respondent Respondent Rate Range Capitol/ O & M No. of Totals for Respondent Rate Range

ICR Activity: IEEs Hrs/Yr $65/hour $75/hour $100/hour Startup Cost Cost Respondents $65/hour $75/hour $100/hour


MODEL 1: "Core" IEE

Environmental Documentation

1. Study the regulations

2. Search reference sources for existing information and compile information from company records

3. Prepare Core IEE and submit

4. Revise in response to EPA's comments and submit

Supplemental Information

1. Prepare and submit supplemental information

Post-Expedition Assessment & Verification

1. Prepare A/V information and submit


185


$ 12,025


$ 13,875


$ 18,500


Env.Doc.

None










Supp.Info.

None





Post-Exp. A/V

None


Env.Doc.

Copying $ 200

Mailing 54

___________

$ 254

Supp.Info.

Copying $ 5

Mailing 12

___________

$ 17


Post-Exp. A/V

Copying $ 13

Mailing 17

___________

$ 30

$ 301


See Table 1


$ 12,326


$ 14,176


$ 18,801



Assumptions for IEEs:


1. IEEs would need to comply with the Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.7, initial environmental evaluation.

2. A "Core" IEE and associated supplemental information comprises the IEE package for the initial preparation of an IEE by an operator.

3. A "Revised" IEE and associated supplemental information comprises the IEE package for a current year's submission developed through revision of a previous year's submission.

4. A Multi-Year IEE consists of a ARevised@ IEE and the associated supplemental information in the initial year and, for each of the subsequent four years, an annual submission of the advance notice and confirmation that the information provided in the Multi-Year IEE is unchanged.

5. Supplemental information for purposes of the costs estimated in Exhibit 1B and Table 1 refers to supplemental information submitted regarding the specifics of the tours/expedition (e.g., dates, number of tours, etc.) rather than supplemental information of a more technical nature that is incorporated into the "Core" or "Revised" IEE by reference.

6. The cost estimates are based on industry labor rates obtained during informal consultations with industry representatives and include overhead and fringe benefits. The three rates used in the calculations represent the rates provided by the industry representatives. The $75/hour intermediate rate is used for summary purposes. See Part D for additional information on the consultations with affected respondents.


Respondent Respondent Rate Range Capitol/ O & M No. of Totals for Respondent Rate Range

ICR Activity: IEEs Hrs/Yr $65/hour $75/hour $100/hour Startup Cost Cost Respondents $65/hour $75/hour $100/hour


MODEL 2: "Revised" IEE


Environmental Documentation

1. Study the regulations

2. Search reference sources for existing information and compile information from company records

3. Prepare Revised IEE and submit

4. Revise in response to EPA's comments and submit


Supplemental Information

1. Prepare and submit supplemental information




Post-Expedition Assessment & Verification

1. Prepare A/V information and submit


65


$ 4,225


$ 4,875


$ 6,500


Env.Doc.

None










Supp.Info.

None





Post-Exp. A/V

None


Env.Doc.

Copying $ 200

Mailing 54

___________

$ 254

Supp.Info.

Copying $ 5

Mailing 12

____________

$ 17

Post-Exp. A/V

Copying $ 13

Mailing 17

____________

$ 30

$ 301


See Table 1


$ 4,526


$ 5,176


$ 6,801




Respondent Respondent Rate Range Capitol/ O & M No. of Totals for Respondent Rate Range

ICR Activity: IEEs Hrs/Yr $65/hour $75/hour $100/hour Startup Cost Cost Respondents $65/hour $75/hour $100/hour


"Subsequent Years" for Multi-Year IEE under MODEL 3


Supplemental Information

1. Prepare and submit supplemental information


Post-Expedition Assessment & Verification

1. Prepare A/V information and submit


30


$ 1,950


$ 2,250


$ 3,000


Supp.Info.

None




Post-Exp. A/V

None


Supp.Info.

Copying $ 5

Mailing 12

____________

$ 17

Post-Exp. A/V

Copying $ 13

Mailing 17

$30

$ 47


See Table 1


$ 1,987


$ 2,297


$ 3,047


TABLE 1. IEEs - TOTAL ESTIMATED HOURS AND COST FOR THE THREE IEE MODELS WITH 3.5% ESCALATION RATE


Core IEE for One Operator and One IEE

Totals for Respondent Rate Range

Hours $65/hour $75/hour $100/hour

YEAR ONE 185 $ 12,326 $ 14,176 $ 18,801

YEAR TWO (3.5% estimated CPI escalation rate) 185 12,757 14,672 19,459

YEAR THREE (3.5% estimated CPI escalation rate) 185 13,203 15,186 20,140

TOTAL ESTIMATED POTENTIAL HOURS and COST: 555 $ 38,286 $ 44,034 $ 58,400

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR: 185 $ 12,762 $ 14,678 $ 19,467


Revised IEE for One Operator and One IEE

Totals for Respondent Rate Range

Hours $65/hour $75/hour $100/hour

YEAR ONE 65 $ 4,526 $ 5,176 $ 6,801

YEAR TWO (3.5% estimated CPI escalation rate) 65 4,684 5,357 7,039

YEAR THREE (3.5% estimated CPI escalation rate) 65 4,848 5,544 7,285

TOTAL ESTIMATED POTENTIAL HOURS and COST: 195 $ 14,058 $16,077 $ 21,125

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR: 65 $ 4,686 $ 5,359 $ 7,042






"Multi-Year" IEE for One Operator and One IEE - A Multi-Year IEE consists of a Revised IEE and, for each of the subsequent four years, an annual submission of the advance notice and confirmation that the information provided in the Multi-Year IEE is unchanged. See above for the hours and cost per operator for the "Revised" IEE for the initial year. The hours and cost per operator for the subsequent years follows for which hours and cost are calculated for "Subsequent Year Multi-Year" IEE submissions.


Subsequent Year Multi-Year” IEE for One Operator

Totals for Respondent Rate Range

Hours $65/hour $75/hour $100/hour

YEAR ONE 30 $ 1,987 $ 2,297 $ 3,047

YEAR TWO (3.5% estimated CPI escalation rate) 30 2,057 2,377 3,154

YEAR THREE (3.5% estimated CPI escalation rate) 30 2,129 2,460 3,264

TOTAL ESTIMATED POTENTIAL HOURS and COST: 90 $ 5,192 $ 7,134 $ 9,465

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR: 30 $ 1,731 $ 2,378 $ 3,155




Average Estimated Hours and Cost for One Operator Initiating and Continuing with a Multi-Year IEE During This ICR Renewal Period


"Revised" IEE based on $75/hour rate and average cost 65 $ 5,359

"Subsequent Year Multi-Year" IEE based on $75/hour rate and average cost for two subsequent years 30hrs x 2 = 60 $2,378 x 2 = $ 4,756

TOTAL ESTIMATED POTENTIAL HOURS and COST: 125 $ 10,115

(over 3-year life of this ICR Renewal)

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR: 42 $ 3,372

(over 3-year life of this ICR Renewal)

Exhibit 1C: CEEs - ESTIMATED RESPONDENT HOURS AND COST


Respondent Respondent Rate Range Capitol/ O & M No. of Totals for Respondent Rate Range

ICR Activity: CEEs Hrs/Yr $65/hour $75/hour $100/hour Startup Cost Cost Respondents $65/hour $75/hour $100/hour


Environmental Documentation


1. Study the regulations

2. Search reference sources for existing information and compile information from company records

3. Prepare CEE and submit

4. Revise in response to EPA's comments and submit


Post-Expedition Assessment & Verification


1. Prepare A/V information and submit
















300
















$ 19,500
















$ 22,500
















$ 30,000


Env. Doc.


None





Post-Exp. A/V


None


Env. Doc.


Copying $ 300

Mailing 64

___________

$ 364


Post-Exp. A/V


Copying $ 25

Mailing 17

____________

$ 42


$ 406
















1
















$ 19,906
















$ 22,906
















$ 30,406


Totals for Respondent Rate Range

Hours $65/hour $75/hour $100/hour

YEAR ONE 300 $ 19,906 $ 22,906 $ 30,406

YEAR TWO (3.5% estimated CPI escalation rate) 300 20,603 23,708 31,470

YEAR THREE (3.5% estimated CPI escalation rate) 300 21,324 24,538 32,571

TOTAL ESTIMATED POTENTIAL HOURS and COST: 900 $ 61,833 71,152 94,447

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR: 300 $ 20,611 23,717 31,482


Assumptions:


1. Exhibit 1C represents the estimated hours and cost for CEEs. In fact, no CEEs were submitted during the thirteen austral summer seasons the Rule has been in effect. For purposes of estimating the potential maximum hours and cost associated with CEEs over the three-year life of the ICR, the three-year projection assumes submission of one CEE per year for each of the next three years. Although one respondent per year is estimated for purposes of the cost calculations, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with less than minor or transitory impacts may well be reduced to less than one respondent per year.

2. Estimates for preparation of a CEE are based on estimated time that would be needed to comply with the Final Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.8, comprehensive environmental evaluation.

3. The cost estimates are based on industry labor rates obtained during informal consultations with industry representatives and include overhead and fringe benefits. The three rates used in the calculations represent the rates provided by the industry representatives. The $75/hour intermediate rate is used for summary purposes. See Part D for additional information on the consultations with affected respondents.

1D. REPORTING FOR EMERGENCIES - ESTIMATED RESPONDENT HOURS AND COST


Respondent Respondent Rate Range Capitol/ O & M No. of Totals for Respondent Rate Range

ICR Activity: CEEs Hrs/Yr $65/hour $75/hour $100/hour Startup Cost Cost Respondents $65/hour $75/hour $100/hour


Reporting for Cases of Emergency

1. Initial Report

2. Full Report



Post-Emergency Assessment & Verification

1. Prepare A/V information and submit









300









$ 19,500









$ 22,500









$ 30,000


Reporting


None




Post A/V

None


Reporting


Copying $ 150

Mailing 32

__________

$ 182

Post A/V

Copying $ 25

Mailing 17

__________

$ 42

$ 224









1









$ 19,724









$ 22,724









$ 30,224


There were no emergencies that required reporting during the seven austral summer seasons the Rule has been in effect. An incident requiring emergency reporting could occur in the subsequent years. The following cost estimates are not additive, however, since only one such emergency in 10 years is estimated.


Totals for Respondent Rate Range

Hours $65/hour $75/hour $100/hour

YEAR ONE 300 $ 19,724 $ 22,724 $ 30,224

YEAR TWO (3.5% estimated CPI escalation rate) 300 20,414 23,519 31,282

YEAR THREE (3.5% estimated CPI escalation rate) 300 21,128 24,342 32,377


Assumptions:


1. Reporting for Cases of Emergency is based on the Final Rule at Section 8.10, Cases of emergency, which requires notice and reporting for activities taken in cases of emergency which would have otherwise required the preparation of a CEE. The estimate is based on reporting requirements only, not the actual cost of the emergency response action. The hours and cost estimate assumes one such emergency per 10 years.

2. Only one incident requiring emergency reporting is estimated to occur over a 10-year period. In fact, there was no emergency reporting during the ten austral summer seasons the Rule has been in effect.

3. The cost estimates are based on industry labor rates obtained during informal consultations with industry representatives and include overhead and fringe benefits. The three rates used in the calculations represent the rates provided by the industry representatives. The $75/hour intermediate rate is used for summary purposes. See Part D for additional information on the consultations with affected respondents.

Exhibit 2A: PERMs - ESTIMATED FEDERAL GOVERNMENT HOURS AND COST


Federal Gov't. Federal Gov't. Capitol/ O & M No. of Total

ICR Activity: PERM hours/year $70/hour Startup Cost Cost Respondents Cost/Year


PERMs from U.S.-Based Operators:


1. Post PERM receipt on WWW, provide copies to interested Federal agencies and public, if requested

2. Review PERM and any public comments, provide comments to and consult with operator

3. Provide copies of revised/final PERM to interested Federal agencies, review, and notify operator, if necessary

4. Maintain file


Post-Expedition Assessment & Verification


1. Review A/V information - NOT REQUIRED FOR PERMs












12












$ 840


PERM



None






Post-Exp A/V


None


PERM


Copying $ 30

FR Pub. 0

Store Files 10

_____________

$ 40



Post-Exp A/V

None

$ 40












1
















$ 880


Hours Cost

YEAR ONE 12 $ 880

YEAR TWO (3.5% estimated CPI escalation rate on $794) 12 911

YEAR THREE (3.5% estimated CPI escalation rate on $822) 12 943

TOTAL ESTIMATED POTENTIAL BURDEN and COST: 36 $ 2,734

AVERAGE EST. BURDEN and COST PER YEAR PER OPERATOR: 12 $ 911


Assumptions:

1. Exhibit 2A represents the estimated hours and cost for PERMs. In fact, during the thirteen austral summer seasons the Rule has been in effect, only one PERM was submitted as the final documentation for an expedition. For purposes of estimating the potential maximum hours and cost associated with PERMs over the three-year life of the ICR, the three-year projection assumes submission of one PERM per year for each of the next three years. Although one respondent per year is estimated for purposes of the cost calculations, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with less than minor or transitory impacts may well be reduced to less than one respondent per year.

2. Estimates for review of a PERM is estimated as 25% of the respondent's time, or 10 hours, to prepare a PERM that would be in compliance with the Final Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.6, preliminary environmental review, and two hours for administrative activities.

3. Hours and cost associated with preparation of higher level EIA documentation, if necessary, is addressed in Exhibits 2B (IEEs) and 2C (CEEs).

4. Based on EPA=s experience for the thirteen austral summer seasons the Rule has been in effect, EPA estimates that the administrative costs have been no more than about 2% of the total estimated costs for the Federal government. Because this percentage is so low, the Federal government costs in Exhibit 2A through 2E are all calculated at the $70/hour rate for technical activities.

Exhibit 2B: IEEs - ESTIMATED FEDERAL GOVERNMENT HOURS AND COST



Federal Gov't. Federal Gov't. Capitol/ O & M No. of Total

ICR Activity: IEEs hours/year $70/hour Startup Cost Cost Respondents Cost/Year


Environmental Documentation

MODEL 1: "Core" IEE


1. Post IEE receipt on WWW, provide copies to interested Federal agencies and public, if requested

2. Review IEE and any public comments, provide comments to and consult with operator

3. Provide copies of revised/final IEE to interested Federal agencies, review , and notify operator, if necessary

4. Maintain file


Supplemental Information


1. Review supplemental information


Post-Expedition Assessment & Verification


1. Review A/V information -


Core IEE



80















1



15

96





$ 5,600















$ 70



$ 1050

$ 6,720


Core IEE



None










Supp. Info.

None



Post-Exp A/V

None


Core IEE


Copying $ 261

Store Files 10*

___________

$ 271


*File storage includes Supp. and A/V Information





Supp. Info.

Included above



Post-Exp A/V

Copying $ 15

File Storage *

_________

$ 15

*Included above

$ 286




See Table 2




$ 7,006


Federal Gov't. Federal Gov't. Capitol/ O & M No. of Total

ICR Activity: IEEs hours/year $70/hour Startup Cost Cost Respondents Cost/Year


Environmental Documentation

MODEL 2: "Revised" IEE


1. Post IEE receipt on WWW, provide copies to interested Federal agencies and public, if requested

2. Review IEE and any public comments, provide comments to and consult with operator

3. Provide copies of revised/final IEE to interested Federal agencies, review, and notify operator, if necessary

4. Maintain file


Supplemental Information


1. Review supplemental information


Post-Expedition Assessment & Verification


1. Review A/V information -


Revised IEE

40















1



15

56



$ 2,800















$ 70



$ 1050

$ 3,920


Revised IEE

None









Supp. Info.


None



Post-Exp A/V

None


Revised IEE

Copying $ 261

Store Files 10*

___________

$ 271


*File storage includes Supp. and A/V Information



Supp. Info.


Included above



Post-Exp A/V

Copying $ 15

File Storage *

____________

$ 15

*Included above

$ 286



See Table 2



$ 4,206



Federal Gov't. Federal Gov't. Capitol/O & M No. of Total

ICR Activity: IEEs hours/year $70/hour Startup Cost Cost Respondents Cost/Year


Environmental Documentation

MODEL 3: "Multi-Year" IEE


Year 1: "Revised" IEE


Years 2 and 3: "Subsequent Years Multi-Year" IEE


1. Review supplemental information

2. Review A/V information -




40





1


15



$ 2,800






Years 2 and 3


$ 70


$ 1050

________

$ 1,120


None






None


Year 1

Copying $ 261

Store Files 10*

___________

$ 271

*File storage includes Supp. and A/V Information

Years 2 and 3

Copying $ 15

File Storage *

____________

$ 15




See Table 2


See Table 2




Assumptions:


1. IEEs would need to comply with the Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.7, initial environmental evaluation.

2. "Core" IEE and associated supplemental information comprises the IEE package for the initial submittal of an IEE by an operator.

3. "Revised" IEE and associated supplemental information comprises the IEE package for a current year's submittal developed through revision of a previous year's submittal.

4. A Multi-Year IEE consists of a Revised IEE and the associated supplemental information in the initial year and, for each of the subsequent four years, an annual submission of the advance notice and confirmation that the information provided in the Multi-Year IEE is unchanged.

5. Supplemental information for purposes of the costs estimated in Exhibit 2B and Table 2 refers to supplemental information submitted regarding the specifics of the tours/expedition (e.g., dates, number of tours, etc.) rather than supplemental information of a more technical nature that is incorporated into the "Core" or "Revised" IEE by reference. The one hour for review of the supplemental information is assigned to EPA to simplify the model and calculations.


______________________________________________________________________________________________________

TABLE 2. IEEs - TOTAL ESTIMATED HOURS AND COST FOR THE THREE IEE MODELS, 3.5% ESCALATION RATE


Core IEE for One Operator and One IEE - (Core IEE + Supplemental Information + A/V Information)

HOURS COST

YEAR ONE 96 $ 7,006

YEAR TWO (3.5% estimated CPI escalation rate) 96 7,251

YEAR THREE (3.5% estimated CPA escalation rate) 96 7,504

TOTAL ESTIMATED POTENTIAL HOURS and COST: 288 $ 21,761

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR 96 $ 7,254


Revised IEE for One Operator and One IEE - (Revised IEE + Supplemental Information + A/V Information)

HOURS COST

YEAR ONE 56 $ 4,206

YEAR TWO (3.5% estimated CPI escalation rate) 56 4,353

YEAR THREE (3.5% estimated CPA escalation rate) 56 4,505

TOTAL ESTIMATED POTENTIAL HOURS and COST: 168 $ 13,064

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR 56 $ 4,355


"Multi-Year" IEE for One Operator and One IEE - A "Multi-Year" IEE consists of a "Revised" IEE and, for each of the subsequent four years, an annual submission of the advance notice and confirmation that the information provided in the Multi-Year IEE is unchanged. See above for the hours and cost per operator for the "Revised" IEE for the initial year. The hours and cost per operator for the subsequent years follows for which hours and cost are calculated for "Subsequent Year Multi-Year" IEE submissions.


Subsequent Year Multi-Year” IEE for One Operator - (Supplemental Information + A/V Information)

HOURS COST

YEAR ONE 16 $ 1,120

YEAR TWO (3.5% estimated CPI escalation rate) 16 1,159

YEAR THREE (3.5% estimated CPA escalation rate) 16 1,200

TOTAL ESTIMATED POTENTIAL HOURS and COST: 48 $ 3,479

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR 16 $ 1,159



Average Estimated Hours and Cost for One Operator Initiating and Continuing with a Multi-Year IEE During This ICR Renewal Period

Revised IEE for One Operator and One IEE HOURS COST

"Revised" IEE 56 $ 4,355

"Subsequent Year Multi-Year" IEE - cost for 2 years 16 hrs x 2 = 32 $1,159 x 2 = 2,318

TOTAL ESTIMATED POTENTIAL HOURS AND COST: 88 $ 6,673

(over 3-year life of this ICR Renewal)

AVERAGE EST. HOURS and COST PER YEAR PER OPERATOR: 29 $ 2,224

(over 3-year life of this ICR Renewal)

Exhibit 2C: CEEs - ESTIMATED FEDERAL GOVERNMENT HOURS AND COST


Federal Gov't. Federal Gov't. Capitol/ O & M No. of Total

ICR Activity: CEE hours/year $70/hour Startup Cost Cost Respondents Cost/Year


CEEs from U.S.-Based Operators:


1. Post CEE receipt on WWW, provide copies to interested Federal agencies and public, if requested

2. Prepare/publish FR notices for receipt of draft CEE and NOA for final CEE; copy and transmit final CEE to Parties

3. Review draft CEE and any public comments, provide comments to and consult with operator

4. Provide copies of revised/final CEE to interested Federal agencies and public, if requested, and to Parties, review, and notify operator, if necessary

5. Maintain file


Post-Expedition Assessment & Verification


1. Review A/V information -


CEE

135


Post-Exp A/V


30


165


CEE

$ 9,450


Post-Exp A/V


$ 2,100


$ 11,550


CEE

None


Post-Exp A/V

None



CEE

Copying $1710 FR Pub. 326

Store Files 10*

_____________

$2046*


*Includes CEE and A/V Information


Post-Exp A/V Copying $ 30

FR Pub. 0

Store Files *

_____________

$ 30

* Included above $2,076



1



$ 13,626



YEAR ONE 165 $13,626

YEAR TWO (3.5% estimated CPI escalation rate on $12,590) 165 $14,103

YEAR THREE (35% estimated CPI escalation rate on $13,031) 165 $14,597

TOTAL ESTIMATED POTENTIAL BURDEN and COST: 495 $42,326

AVERAGE EST. BURDEN and COST PER YEAR PER OPERATOR: 165 $14,109


Assumptions:

1. Exhibit 2C represents the estimated hours and cost for CEEs. In fact, no CEEs were submitted during the ten austral summer seasons the Rule has been in effect. For purposes of estimating the potential maximum hours and cost associated with CEEs over the three-year life of the ICR, the three-year projection assumes submittal of one CEE per year for each of the next three years. Although one respondent per year is estimated for purposes of the cost calculations, EPA anticipates that the actual number of nongovernmental expeditions with activities that will likely proceed with less than minor or transitory impacts may well be reduced to less than one respondent per year.

2. Estimates for review of a CEE is estimated as 50% of the respondent's time, or 120 hours, to prepare a CEE that would be in compliance with the Final Rule at Section 8.4, preparation of environmental documents, generally, and Section 8.8, comprehensive environmental evaluation, with an additional 15 hours for administrative activities, and 50% of respondent's time for assessment and verification procedures for review of the information.

3. EPA would publish Federal Register notices for domestic CEEs, and the Department of State would publish the Federal Register notice and circulate copies of CEEs to all Parties and others that may request copies.

Exhibit 2D: Reporting for Emergencies - Estimated Federal Government Hours and Cost


Federal Gov't. Federal Gov't. Capitol/ O & M No. of Total

ICR Activity: CEE hours/year $70/hour Startup Cost Cost Respondents Cost/Year


Reporting for Cases of Emergency


1. Notify Parties

2. Provide initial and full report to interested Federal agencies and review

3. Provide full report to Parties

4. Review A/V information

5. Maintain files


165


$ 11,550


None


Copying $1740

FR Pub. 0

Store Files 10

___________

$1750


1


$ 10,660

1,750

______

$13,300



YEAR ONE 165 $13,300

YEAR TWO (3.5% estimated CPI escalation rate of $12,410) 165 13,766

YEAR THREE (3.5% estimated CPI escalation rate for $12,845) 165 14,248



Assumptions:


1. Reporting for Cases of Emergency is based on the Final Rule at Section 8.10, Cases of emergency, which would require notice and reporting for activities taken in cases of emergency which would have otherwise required the preparation of a CEE. The estimate is based on reporting requirements only, not the actual cost of the emergency response action. The hours and cost estimate assumes one such emergency per 10 years.

2. Only one incident requiring emergency reporting is estimated to occur over a 10-year period. In fact, there was no emergency reporting during the seven austral summer seasons the Rule has been in effect. An incident requiring emergency reporting could occur in the subsequent years. The cost estimates for reporting for cases of emergency are not additive because only one such emergency in 10 years is estimated.

3. Estimates for review of an Emergency Report is estimated as 50% of the respondent's time to prepare the Emergency Report that would be in compliance with the Final Rule at Section 8.10, or 120 hours, and 50% of respondent's time for assessment and verification procedures for review of the information, or 30 hours, with an additional 15 hours for administrative activities.

3. The Department of State is responsible for notification of Parties and follow-up coordination with the Parties; hours have been allocated to the DOS accordingly.

Exhibit 2E: Coordinating Review of Information Received from Other Parties - Estimated Federal Government Hours and Cost


Federal Gov't. Federal Gov't. Capitol/ O & M No. of Total

ICR Activity: Other Party Docs. hours/year $70/hour Startup Cost Cost Respondents Cost/Year


Coordinate Review of Information Received from Other Parties


1. Prepare and publish FR notice of receipt of draft CEE, provide copies to interested Federal agencies and public, if requested

2. Review draft CEE and provide inter-agency response to Party

3. Provide copies of other documents (including final CEEs, annual list of IEEs, national procedures, significant monitoring information) to interested Federal agencies and public, if requested

4. Post receipt of significant monitoring information on WWW and provide copies to interested Federal agencies and public, if requested

5. Maintain files


110


$7,700

None

Copying $ *

FR Pub 326

Store Files 10

____________

$ 336


* Copying per document:

Draft CEE $360

Final CEE 180

Other doc. 50

IEE list 10

See: Assum. 2, below

See: Assum. 2, below



Assumptions:


1. The Department of State would be responsible for compliance with the Final Rule at Section 8.12, Coordination of reviews from other Parties.

2. The calculations in Exhibit 2E are based on receipt of a CEE from another Party. One Draft CEE was received from other Parties during the ten austral summer seasons the Rule has been in effect other than the annual list of IEEs. There is no way to anticipate receipt of environmental documents from the Parties, other than the annual list of IEEs, on an annual basis. There is no burden or cost to the respondents associated with receipt of documents from the Parties, therefore, the costs are not further defined.

Exhibit 3: SUMMARY - ESTIMATED RESPONDENT/FEDERAL GOVERNMENT HOURS AND COST


CHART 1: Summary for Respondents and Federal Government - Estimated Total and Annual Average hours and cost for each type of environmental document that is submitted by a Respondent under the Final Rule




PERM


Core IEE


Revised IEE


Subsequent Year Multi-Year IEE


CEE


Emergency

Reporting


Hours Cost

Hours Cost

Hours Cost

Hours Cost

Hours Cost

Hours Cost


Respondent

Year 1

Year 2

Year 3


TOTAL

Annual Average



40 $ 3,079

40 $ 3,187

40 $ 3,298


120 $ 9,564

40 $ 3,188



185 $14,176

185 $14,672

185 $15,186


555 $44,034

185 $14,678



65 $ 5,176

65 $ 5,357

65 $ 5,544


195 $16,077

65 $ 5,359



30 $ 2,297

30 $ 2,377

30 $ 2,460

90 $ 7,134

30 $ 2,378



300 $ 22,906

300 $ 23,708

300 $ 24,538


900 $ 71,152

300 $ 23,717



300 $22,724

300 $23,519

300 $24,342


Federal Government

Year 1

Year 2

Year 3


TOTAL

Annual Average




12 $ 880

12 $ 911

12 $ 943


36 $ 2,734

12 $ 911




96 $ 7,006

96 $ 7,251

96 $ 7,504


288 $21,761

96 $ 7,254




56 $ 4,206

56 $ 4,353

56 $ 4,505


168 $13,064

56 $ 4,355




16 $ 1,120

16 $ 1,159

16 $ 1,200


48 $ 3,479

16 $ 1,159




165 $ 13,626

165 $ 14,103

165 $ 14,597


495 $ 42,326

165 $ 14,109




165 $13,300

165 $13,766

165 $14,248


TOTAL

Annual Average


156 $12,298

52 $ 4,099


843 $65,795

281 $21,931


363 $29,141

121 $ 9,714


138 $ 10,613

46 $ 3,538


1395 $113, 478

465 $ 37,826




CHART 2: Summary for Respondents and Federal Government - Estimated total hours and costs for Multi-Year IEE as the anticipated level and type of environmental document most respondents submit under the Final Rule for the 3-year ICR renewal (Year 1 = "Revised" IEE, Years 2 and 3 = "Subsequent Year Multi-Year" IEE)



Multi-Year IEE


Total Hours

3-Year Total Annual 3-Yr Average


Total Cost

3-Year Total Annual 3-Yr Average


Respondent (for one operator)


125 hours 42 hrs per op per yr


$ 10,115 $ 3,372 per operator per year


Federal Government (for one op.)


88 hours 29 hrs per op per year


$ 6,673 $ 2,224 per op per year


TOTALS - For one operator


213 hours 71 hrs per op per yr


$ 16,366 $ 5,456 per op per year


NOTES: Annual Average is the average per respondent per year. Chart 1 presents the maximum hours and cost for a respondent. Chart 2 presents the maximum hours and cost based on the anticipated level and type of environmental document a respondent would likely submit under the Final Rule. The $75/hour intermediate rate is used for summary purposes. The hours and cost estimates for Emergency Reporting assume one such emergency per 10 years.

CHART 3: Summary for Respondents and Federal Government - Estimated hours and costs for environmental documentation for 3-year period of this ICR renewal.

Summary assumes 18 operators per year with 3 new operators and 15 repeat operators each year. For the 15 repeat operators, the assumptions are that 3 will prepare "Revised" IEEs and 12 will prepare "Multi-Year" IEEs. For Chart 3, the calculations use the "Annual Average" from Chart 1for "Core," "Revised," and "Subsequent Year, Multi-Year" IEEs and the hours and cost in Chart 2 for the "Multi-Year" IEE.



Operators: 18 operators each year for the 3-year ICR renewal period


Respondent Burden

Hours Cost


Federal Government Burden

Hours Cost


3 new operators submit "Core" IEEs each year

Burden per year

Total 3-year burden



185 x 3 = 555 $14,678 x 3 = $ 44,034

555 x 3 = 1,665 $44,034 x 3 = $132,102



96 x 3 = 288 $7,254 x 3 = $ 21,762

288 x 3 = 864 $21,762 x 3 = $65,286


3 of 15 repeat operators submit "Revised" IEEs each year

Burden per year

Total 3-year burden


65 x 3 = 195 $ 5,359 x 3 = $ 16,077

195 x 3 = 585 $16,077 x 3 = $ 48,231


56 x 3 = 168 $ 4,355 x 3 = $ 13,065

168 x 3 = 504 $13,065 x 3 = $ 39,195


12 of 15 repeat operators submit new "Multi-Year" IEEs

Burden per year

Total 3-year burden



42 x 12 = 504 $ 3,372 x 12 = $ 40,464

504 x 3 = 1,512 $40,464 x 3 = $ 121,392



29 x 12 = 348 $ 2,224 x 12 = $26,688

348 x 3 = 1044 $26,688 x 3 = $80,064


ANNUAL TOTAL BURDEN for 18 operators

ANNUAL TOTAL BURDEN per operator

TOTAL 3-YEAR BURDEN for 18 operators

TOTAL 3-YEAR BURDEN per operator


1,254 $100,575

70 $ 5,588

3,762 $301,725

209 $ 16,763


804 $ 61,515

45 $ 3,418

2,412 $ 184,545

134 $ 10,253



EXHIBIT 4: SUMMARY FOR RESPONDENTS AND FEDERAL GOVERNMENT - O&M COSTS


Estimated O&M costs for Respondents and the Federal Government and O&M breakout within the total cost burden.


Operators: 18 operators each year for the 3-year ICR renewal period


Respondent Burden

O&M Cost O&M + Labor = Total Cost


Federal Government Burden

O&M Cost O&M + Labor = Total Cost


3 new operators submit "Core" IEEs each year

Burden per year

Total 3-year burden



$ 301 x 3 = $ 903 $903 + 43,131 = $ 44,034 $903 x 3 = $ 2,709 $2,709 + 129,393 = $132,102



$ 271 x 3 = $813 $ 813 + 20,949 = $ 21,762

$813 x 3 = $2,439 $ 2,439 + 62,847 = $65,286


3 of 15 repeat operators submit "Revised" IEEs each year

Burden per year

Total 3-year burden



$ 301 x 3 = $ 903 $ 903 + 15,174 = $ 16,077

$ 903 x 3 = $ 2,709 $2,709 + 45,522 = $ 48,231



$ 271 x 3 = $ 813 $ 813 + 12,252 = $ 13,065

$ 813 x 3 = $2,439 $ 2,439 + 36,756 = $ 39,195


12 of 15 repeat operators submit new "Multi-Year" IEEs48

Burden per year

Total 3-year burden




$ 132 x 12 = $ 1,584 $ 1,584 + 38,880 = $ 40,464

$ 1,584 x 3 = $ 4,752 $4,752 + 116,640 = $ 121,392




$ 111 x 12 = $ 1,332 $ 1,332 + 25,356 = $26,688

$ 1,332 x 3 = $3,996 $ 3,996 + 76,068 = $80,064



ANNUAL TOTAL BURDEN for 18 operators

ANNUAL TOTAL BURDEN per operator

TOTAL 3-YEAR BURDEN for 18 operators

TOTAL 3-YEAR BURDEN per operator


O&M Labor Total Cost

$ 3,390 + 97,185 = $100,575

$ 188 + 5,399 = $ 5,587

$10,170 + 291,555 = $301,725

$ 565 + 16,198 = $ 16,763


O&M Labor Total Cost

$2,958 + 58,557 = $ 61,515

$ 164 + 3,253 = $ 3,417

$8,874 + 175,671 = $184,545

$ 493 + 9,759 = $ 10,253











PART B OF THE SUPPORTING STATEMENT

STATISTICAL SURVEY



This collection of information does not use or is otherwise based on a statistical survey.












































1Article 3(4), of Annex I of the Protocol requires that draft CEEs be distributed to all Parties and the Committee for Environmental Protection 120 days in advance of the next Antarctic Treaty Consultative Meeting (ATCM) at which the CEE may be addressed.

2For example, such information includes, as appropriate and to the best of the operator=s knowledge: identification of the number of tourists put ashore at each site, the number and location of each landing site, the total number of tourists at each site per ship and for the season; the number of times the site has been visited in the past; the number of times the site is expected to be visited in the forthcoming season; the times of the year that visits are expected to occur (e.g., before, during, or after the penguin breeding season); the number of visitors expected to be put ashore at the site at any one time and over the course of a particular visit; what visitors are expected to do while at the site; verification that guidelines for tourists are followed; description of any tourist exceptions to the landing guidelines; and description of any activity requiring mitigation, the mitigative actions undertaken, and the actual or projected outcome of the mitigation.

3During the time the Interim Final and Final Rules have been in effect, there were no emergencies requiring notification by U.S. operators. An Interim Final Rule was in effect from April 30, 1997, until replaced on December 6, 2001, by the Final Rule. The term Rule in this document refers to the period of time the Interim Final and Final Rules have been in place at 40 CFR Part 8 (e.g., for this ICR renewal, the years 1997- 2013 which includes the 1997-1998 through 2012-2013 austral summer seasons).

4The Paperwork Reduction Act, 44 U.S.C. Section 3502, states:


(13) the term Arecordkeeping requirement@ means a requirement imposed by or for an agency on persons to maintain specified records, including a requirement to -

(A) retain such records;

(B) notify third parties, the Federal Government, or the public of the existence of such records;

(C) disclose such records to third parties, the Federal Government, or the public; or

(D) report to third parties, the Federal Government, or the public regarding such records; ...


Burden is defined in the Preamble to the Final Rule, Section VII, Paperwork Reduction Act, as the total time, effort, or financial resources expended by persons to generate, maintain, retain, or disclose or provide information to or for a Federal agency.

5Alternately, under the paperwork reduction provisions of the Rule, operators could choose to incorporate the advance notice by referring to it since it is reasonably available to EPA. Practice has been that the operators have included a copy in their environmental assessment documentation.

6For the 1997-1998 through 2012-2013 austral summer seasons (e.g., during the time the Interim Final and Final Rules have been in effect), EPA found that the IEEs for expeditions that were not ship-based (e.g., land-based; non-governmental research, and flight expeditions) were usually similar to ship-based IEEs in terms of complexity; thus, the IEEs for these expeditions are similar in detail and length.

7The term Rule in this document refers to the period of time the Interim Final Rule and Final Rule have been in place at 40 CFR Part 8 (e.g., for this ICR renewal, the years from 1997-2007 which includes the 1997-1998 through 2012-2013 austral summer seasons).

8Nine IAATO-member operators submitted one IEE for their Peninsula area expeditions but one of the operators did not proceed with its planned tours during the season; this operator plans to continue its operations in the out-years.

9Seven IAATO member operators submitted one IEE for their Peninsula area expeditions but one of the operators did not proceed with its planned tours during the season.

10EPA routinely consults with the Department of State (DOS) and the National Science Foundation (NSF). EPA may consult with other agencies when appropriate for specific activities. These may include: U.S. Coast Guard (USCG), Marine Mammal Commission (MMC), National Oceanic and Atmospheric Administration (NOAA, including National Marine Fisheries Service), and the Department of Justice (DOJ).

11For example, Sweden has a specific form, and the United Kingdom has a permit system. For purposes of the Final Rule, an operator could submit environmental documentation prepared for another country as long as all the elements required by the regulations are addressed.

1216 U.S.C. 2401 et seq., as amended, 16 U.S.C. 2403a.

13For the austral seasons the Rule has been in effect, operators have used all of the available paperwork provisions available under the Rule.

14See: Final Rule, Preamble, Section III.D.3(c). Article 3(4), of Annex I of the Protocol requires that draft CEEs be distributed to all Parties and the Committee for Environmental Protection 120 days in advance of the next Antarctic Treaty Consultative Meeting (ATCM) at which the CEE may be addressed. Operators who anticipate such activities are encouraged to consult with EPA as soon as possible regarding the date for submitting the CEE. In fact, there were no CEEs submitted during the seven austral seasons the Rule has been in effect.

15For the thirteen austral summer seasons the Rule has been in effect, environmental documentation has been submitted primarily by ship-based tour operators and one privately funded researcher. Many of the U.S.-based tour operators (both ship-based and land-based) are members of IAATO and are experienced for-profit companies that organize and/or operate travel programs to the Antarctic.

16For the four IEEs submitted in 1997-1998, the approximate number of pages, including the "core" document plus supplemental documentation, was: 215 (5-operator Peninsular Area), 208 (2-operator non-PA), 43 (non-IAATO member operator), and 20 (privately-funded researcher). The supplemental information submitted by the 5 operators for the Peninsular Area IEE, which included tour brochures, averaged about 23 pages per operator. The privately-funded researcher incorporated by reference selected information from three previously published reports. During the subsequent three years the Interim Final Rule was in effect, the annual submissions averaged closer to 50 pages due, in large part, to the use of the paperwork reduction provisions of the Interim Final Rule. This Apreparation@ burden is actually less when the fact that tour brochures for the current season prepared for commercial purposes and a copy of the advance notice submitted to the Department of State were submitted by the tour operators as part of the IEE documentation. However, for purposes of maximum burden estimates, the 1997-1998 figures are used in the burden calculations. Experience under the Final Rule indicates these assumptions are still generally accurate.

17The estimate for preparation of supplemental information excludes any time associated with preparing travel brochures and/or major reports referenced in, and submitted along with, an IEE (e.g., researcher reports such as those prepared by Oceanites, Inc., and submitted as referenced attachments with the IEE).

18For activities requiring an IEE, an operator should be able to use procedures currently being voluntarily utilized by operators to provide the required information.

19For an IEE that covers multiple operators, the cost per operator is further reduced; specific examples are listed as a footnote for each model calculation.

20If, for example, the Core IEEs cover six operators (e.g., four of the IEEs cover one operator each and one of the IEEs covers 2 operators), the cost per operator is reduced from 185 hours to 154 hours.

21If, for example, the three Revised IEEs cover four operators (e.g., two IEEs cover one operator each and the other covers two operators), the burden per operator is reduced from 65 hours to 49 hours.

22For purposes of demonstrating the hourly burden for an operator submitting a Multi-Year IEE, EPA assumed twelve operators would submit multi-year IEEs during the time covered by this ICR renewal. It is possible that two of the operators listed under the Revised IEE model may submit Amulti-year@ rather than revised IEEs. However, since the intent of these operators is unknown, EPA assumed these two operators would submit Arevised@ IEEs, an assumption that provides the maximum hours and cost estimates for the three year period of this ICR renewal since the hours and costs per operator are more for a Revised IEE than for a Multi-Year IEE.

23 Because the nine Multi-Year IEEs cover twelve operators (e.g., one IEE covers nine operators and the other seven cover one operators), the burden per operator is reduced from 36 hours to 34 hours (e.g., the hours for the annual supplemental information and A/V procedures) as the initial cost of the Revised IEE is spread among the operators.

24One-time capital/start-up costs usually include any produced physical good needed to provide the necessary information. Start-up capital must be purchased for the specific purpose of satisfying EPA's reporting or recordkeeping requirements. Capital goods include computers, machinery, or equipment. Start-up capital costs are usually incurred at the beginning of an information collection period and are usually incurred only once.

25O&M costs are the recurring dollar amount of cost associated with O&M or purchasing services. For example, when respondents are required to submit reports or information, O&M costs may include costs for file storage, photocopying, and postage.

26For Exhibits 1 and 2, costs are rounded down to the nearest dollar for $0.01 to $0.49, and rounded up to the nearest dollar for $0.50 to $0.99.

27Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

28Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

29One-time capital/start-up costs usually include any produced physical good needed to provide the necessary information. Start-up capital must be purchased for the specific purpose of satisfying EPA's reporting or recordkeeping requirements. Capital goods include computers, machinery, or equipment. Start-up capital costs are usually incurred at the beginning of an information collection period and are usually incurred only once.

30There is no respondent burden or cost associated with Section 8.12.

31See: Exhibits 2A through E, the Federal government estimates for hours and cost. For example, technical activities associated with Environmental Documentation include: review of environmental documents, including any public comments, and providing comments to the operator; consultation with operators; and review of the revised/final document submissions and notification of the operator, if necessary. Other activities listed under Environmental Documentation, such as posting document receipt on the WWW, are administrative.

32For the "Technical staff," the model uses the GS-14 level rates, and assumes that the technical staff may actually be composed of GS-13 through GS-15 level staff. For the "Attorney," the model uses the GS-14 level rates, and assumes that the attorneys may actually be composed of GS-14 and GS-15 level staff. The EPA estimated rates used in the calculations are base rates on the GS scale for the Washington, DC, area with a 25% increase to incorporate overhead and fringe benefits.

33For purposes of demonstrating the hourly burden for an operator submitting a Multi-Year IEE, EPA assumed twelve operators will submit nine multi-year IEEs during the time covered by this ICR renewal. It is possible that three of the operators listed under the Revised IEE model may submit multi-year rather than revised IEEs. However, since the intent of these operators is unknown, EPA assumed these three operators would submit revised IEEs, an assumption that provides the maximum hours and cost estimates for the three year period of this ICR renewal since the hours and costs per operator are more for a Revised IEE than for a Multi-Year IEE.

34See Final Rule at Section 8.10. Emergency reporting would be required for emergency activities which would have otherwise required the preparation of a CEE. The estimate is based on reporting requirements only, not the actual cost of the emergency response action. The hours and cost estimate assumes one such emergency per 10 years. (See: Respondent Assumption 6.)



35Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

36Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

37Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

38Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

39Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

40For an IEE that covers multiple operators, the cost per review per operator is further reduced; specific examples are listed as a footnote for each model calculation.

41If, for example, the ACore@ IEEs cover six operators (e.g., four of the IEEs cover one operator each and one of the IEEs covers 2 operators), the cost per operator is reduced from 96 hours to 80 hours.

42If a new IEE is submitted by another U.S.-based operator, the hourly burden estimate for this IEE is the same as for an initially prepared "core" IEE.

43If, for example, the Revised IEEs cover four operators (e.g., two of the IEEs cover one operator each and one of the IEEs covers 2 operators), the cost per operator is reduced from 56 hours to 42 hours per review per operator.

44For purposes of demonstrating the hourly burden for an operator submitting a Multi-Year IEE, EPA assumed twelve operators would submit nine multi-year IEEs during the time covered by this ICR renewal. It is possible that the three operators listed under the Revised IEE model may submit multi-year rather than revised IEEs. However, since the intent of these operators is unknown, EPA assumed these three operators would submit revised IEEs, an assumption that provides the maximum hours and cost estimates for the three year period of this ICR renewal since the hours and costs per operator are more for a Revised IEE than for a Multi-Year IEE.

45Because the nine Multi-Year IEEs cover twelve operators (e.g., one IEE covers one operator and the other covers two operators), the hours per operator is reduced from 24 hours to 20 hours (e.g., the hours for review of the annual supplemental information and A/V information) as the initial review cost of the Revised IEE is spread among the operators.

46Exhibit 2E summarizes the Federal government hours and cost for coordinating review of information received from other Parties and is not further summarized since it is not possible to predict what may be received from another Party in any given year, and there is no associated respondent hours or costs.

47Three years are used in these calculations because that is the period of time the ICR is in effect before it must be renewed.

48New "Multi-Year" IEE includes "Revised" IEE in the first year and "Subsequent Year, Multi-Year" IEE in years 2 and 3. The average cost for the three year period of the ICR renewal is used in the calculations in Exhibit 4.

For the total three years:

Respondent $301 + (2 x $47)= $395

Federal Government $271 + (2 x $31) = $333

Average for the three years:
Respondent $395/ 3 years = $132/year
Federal Government $333/ 3 years = $111/year


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