0596-0082 Supporting Statement A - Final in ROCIS

0596-0082 Supporting Statement A - Final in ROCIS.docx

Special Use Administration

OMB: 0596-0082

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2020 Supporting Statement

Special Use Administration

0596-0082


A. Justification

  1. Explain the circumstances that make the collection of information necessary. Iden­tify any legal or administrative requirements that necessitate the collection. Attach a copy of the appropriate section of each statute and regulation mandating or authorizing the collection of information.


This information collection is used by the Forest Service to evaluate and ensure that authorized uses of National Forest System (NFS) lands are in the public interest and are compatible with the agency’s mission. The information helps the agency identify environmental and social impacts of special uses for purposes of compliance with the National Environmental Policy Act (NEPA) and program administration. In addition, the agency uses the information to ascertain whether the land use fee being charged for special use authorizations is based on market value. The information is collected through application forms and terms and conditions in special use authorizations and operating plans. Ongoing uses must be monitored to ensure compliance with the terms of the corresponding authorizations. In certain situations, information from the authorization holder is the only way the Forest Service can verify compliance with the terms of an authorization.


Several statutes authorize the Forest Service to issue and administer authorizations for use and occupancy of National Forest System (NFS) lands and require the collection of information from the public for those purposes. The laws for authorizing the use and managing these uses of NFS lands include:

  1. The Organic Administration Act of 1897 (16 U.S.C. 551);

  2. Title V of the Federal Land Policy and Management Act of 1976 (FLPMA, 43 U.S.C. 1761-1771);

  3. The Act of March 4, 1915 (16 U.S.C. 497);

  4. The National Forest Ski Area Permit Act (16 U.S.C. 497b);

  5. Section 28 of the Mineral Leasing Act (30 U.S.C. 185);

  6. The National Forest Roads and Trails Act (FRTA, 16 U.S.C. 532-538);

  7. Section 7 of the Granger-Thye Act (16 U.S.C. 480d);

  8. The Act of May 26, 2000 (16 U.S.C. 460l-6d);

  9. The Federal Lands Recreation Enhancement Act (16 U.S.C. 6801-6814);

  10. Act of September 3, 1954 (68 Stat. 1146; 43 U.S.C. 931c, 931d);

  11. Archeological Resource Protection Act of October 31st , 1979 (16 U.S.C.1996)

  12. The Rural Electrification Act of 1936, as amended

  13. Title VI of the Civil Rights Act of 1964


Forest Service regulations implementing these authorities, found at 36 CFR part 251, subpart B, contain information collection requirements, including submission of applications, execution of forms, and imposition of terms and conditions that entail information collection requirements, such as the requirement to submit annual financial information; to prepare and update an operating plan; to prepare and update a maintenance plan; and to submit compliance reports and information updates. The information collection requirements described in this request for an extension with revision of a currently approved information collection are necessary for the Forest Service to issue and administer special use authorizations to use and occupy NFS lands under these authorities.


From time to time, the agency will be making minor changes to the forms included in this approval. These revisions will not materially change the information collection, but rather the terms and conditions and legal authorities that govern special use permits.


  1. Indicate how, by whom, and for what purpose the information is to be used. Except for a new collection, indicate the actual use the agency has made of the information received from the current collection.

  1. What information will be collected - reported or recorded? (If there are pieces of information that are especially burdensome in the collection, a specific explanation should be provided.)

Information requests for the issuance and administration of special use authorizations can be categorized as follows: (1) information required from proponents and applicants to evaluate proposals and applications to use or occupy NFS lands; (2) information required from applicants to complete special use authorizations; (3) annual financial information required from holders to determine land use fees; (4) information required from holders to prepare and update operating plans; (5) information required from holders to prepare and update maintenance plans; and (6) information required from holders to complete compliance reports and information updates. The six categories cover all information collection requirements involved in administration of the special uses program, including application and reporting forms; authorization forms; supplemental special use authorization clauses in Forest Service Handbook 2709.11, chapter 50, and information collection requirements not associated with an approved standard form.


None of the requested information is especially burdensome. When requested, financial information is the same information, and in the same level of detail, that must be supplied to the IRS or maintained under traditional sound business management practices.


Category 1: The Application Process

The application includes both the proposal to use NFS lands and the application for an authorization. When a proposal is accepted it moves forward as an application. The information in this process identifies the applicant, is used to determine if a requested use can be authorized and provides the required information for the authorization. The typical application information in the application process is:

(1) identification of the applicant;
(2) a description of the proposed use;

(3) the location and duration of the proposed use;

(4) the technical and financial capability of the applicant;

(5) alternative locations considered for the proposed use, including non-federal lands;

(6) anticipated environmental impacts associated with the proposed use and proposed mitigation of those impacts; and

(7) information needed to recover agency costs to process an application and monitor a special use authorization. The authorized officer evaluates this information and makes a decision to grant or deny the application.


Category 2: Special Use Authorizations

A special use authorization is a revocable permit, term permit, lease, or easement which provides permission, without conveying an interest in land, to occupy and use NFS lands for specified purposes and for a specified term.


There are approximately 28,753 special use authorizations in effect, authorizing a variety of activities that range from individual private uses to large-scale commercial facilities and public services. Examples of authorized special uses include public and private road rights-of-way, apiaries, domestic water supply conveyance systems, telephone and electric service rights-of-way, oil and gas pipeline rights-of-way, communications facilities, hydroelectric power-generating facilities, ski areas, resorts, marinas, municipal sewage treatment plants, and public parks and playgrounds. Each year the Forest Service issues approximately 8,200 special use authorizations. Due to the complexity of the special uses program, the use of standard forms to issue special use authorizations is critical to administration of the program.


Under 36 CFR part 251, subpart B, each special use authorization may be modified to include supplemental clauses (as described in Forest Service Handbook 2709.11, chapter 50) based on local conditions, unique situations, environmental needs, liability concerns, and changes in applicable law.


Category 3: Annual Financial Information

For some special use authorizations, the land use fee is determined from financial statements or accounting records maintained by the holder. For example, the land use fee may be calculated based on the number and types of users of the site or the gross revenue generated by the authorized use. Without this information, the government would not have the information necessary to calculate the holder's land use fee. This information may be obtained only from the holder and usually involves records the holder maintains in the normal course of business.


In some situations, the holder's certified public accountant or business manager extracts information from the holder's financial statements to complete the information collection. These data are reviewed and certified by the holder and forwarded to the Forest Service for the purpose of calculating the land use fee. Without this type of financial information, there would be no way to compute the land use fee.


A requirement for the holder to submit annual or quarterly financial information may be contained in fee clauses incorporated in a special use authorization. Some holders are required to submit quarterly financial information to facilitate multiple billings during the year.


Category 4: Preparing and Updating Operating Plans Special use authorizations may contain a clause requiring the holder to prepare and update an operating plan governing day-to-day operations of the authorized use. This information is useful to the holder and the authorized officer because it specifies procedures and policies for conducting the authorized use. Typically, operating plans contain daily operating guidelines, fire abatement and control procedures, monitoring guidelines, maintenance standards, safety and emergency plans, and inspection standards. Operating plans are usually necessary for complex operations, commercial uses, and uses conducted in environmentally sensitive areas.


Category 5: Preparing and Updating Maintenance Plans

A permit or easement issued under the Federal Land Policy and Management Act or The National Forest Roads and Trails Act may require the holder or grantee to submit and update a road maintenance plan or information necessary for the preparation of a road maintenance plan. A road maintenance plan governs a holder's or grantee's responsibility to perform or pay for maintenance of a National Forest System (NFS) road.



Category 6: Compliance Reports and Information Updates

Special use authorizations may contain a clause requiring the holder to provide the authorized officer with compliance reports, information reports, and other information required by federal law or to manage NFS lands to address protection of national forest resources and public health and safety. Examples of compliance and information updates include notifications involving a change in ownership of authorized improvements or a change in control of the holder; and documentation of compliance with Title VI of the Civil Rights Act of 1964.


Please refer to question 12 for a list of the individual forms.


  1. From whom will the information be collected? If there are different respondent categories (e.g., loan applicant versus a bank versus an appraiser), each should be described along with the type of collection activity that applies.

The Forest Service collects the information from applicants and those holding a special use authorization. Holders and Applicant for special use authorization to use NFS lands are represented by all of the various uses in the approximately 28,753 authorizations. Of the 28,753 authorizations, the proportions are as follows: 34 percent are individuals (single person, husband and wife, or family trust); 54 percent are private sector businesses (sole proprietor, partnerships, corporations, schools, and charities); and 12 percent encompass governmental entities (federal, state, local, county, and tribes) This breakdown has been verified in 2019 and is still consistent with the previous submission. Special Use Authorization holders and applicants represent all individuals and organization types in the United States. Individuals, partnerships, trust, corporations, organizations, governmental entities and tribes all have uses on NFS lands.


These uses of NFS lands range from an individual’s driveway, to interstate gas lines; from a single boat dock to multi-million-dollar recreation resorts; from a small (fee exempt) not-for-profit utility to multi-national corporations and federal power organizations.


  1. What will this information be used for - provide ALL uses?

The information collected is used to issue permits, enforce compliance with agreements and reports are generated to ensure fees are paid (Such as Recreation Residence Cabins) and to monitor growth of the Special Use Program. This helps with budget forecasting & program development.


  1. How will the information be collected (e.g., forms, non-forms, electronically, face-to-face, over the phone, over the Internet)? Does the respondent have multiple options for providing the information? If so, what are they?

Typically, the information is collected via delivery of the form via hard copy mail, FAX or in electronic format via e-mail. Since most of these forms are legally binding Agreements, they require a signature for the attestation or acceptance, with an original signature.


  1. How frequently will the information be collected?

It varies. Based on the length of the authorization, forms have a duration ranging from a short-term of a day or year, to a long-term up to 40 years. Thus depending on the use type, information can be collected with varying frequencies. Large resorts may provide fee information on a monthly basis whereas a Special Use Permit for signage may not be needed for 20 years.


  1. Will the information be shared with any other organizations inside or outside USDA or the government?

The information is not shared in any routine or established manner.

Information is released in certain situations such as audits by USDA Office of the Inspector General and the Government Accountability Office, and yearly requests for certain information relevant to local taxing authorities for their Possessory Interest Taxes.

  1. If this is an ongoing collection, how have the collection requirements changed over time?

This is an ongoing information collection that includes new forms, leases and lease appendices and liability waiver; updates to existing forms and additions and revisions to existing standard clauses across the forms. The changes to the existing forms reflect creation of new laws for instance the FS-2700-5a Term Special Use Permit for Recreation Residences was updated by the Cabin Fee Act of 2014 16 U.S.C. 6214 that affected recreation residence fees. The Farm bill required the Forest Service to create new forms to


  1. Describe whether, and to what extent, the collection of information involves the use of automated, electronic, mechanical, or other technological collection techniques or other forms of information technology, e.g. permitting electronic submission of responses, and the basis for the decision for adopting this means of collection. Also describe any consideration of using information technology to reduce burden.

Authorizations are automated and produced in the Agency’s Special Uses Database System (SUDS). Routine and reoccurring information can be delivered to the agency by the applicant or permit holder using the information technology employed in the normal course of business. The agency uses e-mail and FAX to improve delivery of services and plans to use improved technology when it is available.


  1. Describe efforts to identify duplication. Show specifically why any similar infor­mation already available cannot be used or modified for use for the purposes descri­bed in Item 2 above.

The information collected is unique to the Forest Service. The Forest Service has determined that the information the agency needs to process special use applications and monitor special use authorizations for use of NFS lands is not available from other governmental and private entities.


To avoid duplication of effort, the Forest Service is consolidating authorizations, when appropriate, into one authorization, thereby eliminating multiple billings and the individual data required by each authorization.


The use of standard forms tends to reduce requests for extraneous information and allows the applicant to provide data in a more efficient manner than if several different forms were required.


  1. If the collection of information impacts small businesses or other small entities, describe any methods used to minimize burden.

This information collection does impact small business or other small entities. While many small entities; individuals, businesses, organizations and governmental units qualify for fee exemptions or waivers, there is no waiver from compliance with required environmental laws and receiving the appropriate legal instrument for their occupancy of NFS lands.


The methods used to minimize burden include collecting only the minimal information necessary to calculate the land use fee and to verify a basic level of maintenance at the site is required. Financial information, when required, involves records typically maintained in the normal course of business. No unusual information is required to determine the land use fee.


The Forest Service, in conjunction with the Bureau of Land Management, waives the required cost reimbursement when the impact to the agency is less than 1 hours (Forest Service Recreation program exempts anything under 50hrs from cost recovery). The agency is also streamlining several fees and permitting activities. As required by Section 367 of the Energy Policy Act of 2005, linear rights-of-way fees can be determined up to ten years in advance allowing holders to improve their budgeting for land use fees. Outfitter and Guides have a revised permit and fee program that reduces the information collection burden to them.


Our Agency estimates 20% of small businesses may be impacted by this information collection renewal.


  1. Describe the consequence to Federal program or policy activities if the collection is not conducted or is conducted less frequently, as well as any technical or legal obstacles to reducing burden.

If the collection is not conducted or conducted less frequently there will be a loss to the Federal Treasury of the required receipts from use of NFS lands and reimbursement of agency costs, costs incurred only due to the special benefit provided to that entity. All of these receipts are required to be paid either annually or as a condition of receiving their unique benefit.


Additionally, based on prior experience – when authorizations are not administered correctly – adverse impacts to the environmental resource within the National Forests occur. Facilities improperly located and constructed most likely result in aesthetic damage, soil loss, and water pollution. Soil loss, water pollution, and adverse impacts to plants and animals and their habitat will also occur without the appropriate administration of the use of NFS lands.


The Forest Service collects the information that is used to determine whether the use meets applicable regulations. The use could not be evaluated without the information collected.


The Forest Service must calculate land use fees accurately. The frequency for collecting information needed to calculate land use fees vary based on how the land use fee is determined (e.g., based on sales vs. land appraisal). If the information is not collected as frequently, the accuracy of land use fees will suffer. In addition, the Forest Service must ensure that the public and the United States are protected. Required information is submitted at the minimum frequency. For example, insurance policies are normally written for a year.


The information required from an annual inspection is necessary to ensure a basic level of maintenance and public service and to address concerns of public health and safety.


  1. Explain any special circumstances that would cause an information collection to be conducted in a manner:

  • Requiring respondents to report information to the agency more often than quarterly;

Based on regulation or law, certain information is collected more frequently than quarterly. For example; Resorts with large fees report and pay fees monthly, Due to unusual events or environmental concerns, information collection can occur more frequently then quarterly. When an entity has a change of condition, such as a sale, a report is required.


  • Requiring respondents to prepare a written response to a collection of informa­tion in fewer than 30 days after receipt of it;

Certain environmental emergencies can require a response sooner than 30 days. Examples are an oil spill & fire; this would require a notice to update an Operating Plan (Category 4, no designated form.).


  • Requiring respondents to retain records, other than health, medical, government contract, grant-in-aid, or tax records for more than three years;

Revenue based authorizations require the retention of support documentation for revenue and related information for the period between fee audits, which can be 5 years, or to the standard required by the IRS, which is 6 years. This record keeping is a normal business practice.


  • In connection with a statistical survey, that is not designed to produce valid and reliable results that can be generalized to the universe of study;

  • Requiring the use of a statis­tical data classi­fication that has not been re­vie­wed and approved by OMB;

  • That includes a pledge of confidentiality that is not supported by au­thority estab­lished in statute or regu­la­tion, that is not sup­ported by dis­closure and data security policies that are consistent with the pledge, or which unneces­sarily impedes shar­ing of data with other agencies for com­patible confiden­tial use; or

  • Requiring respondents to submit propri­etary trade secret, or other confidential information unless the agency can demon­strate that it has instituted procedures to protect the information's confidentiality to the extent permit­ted by law.

There are no other special circumstances. The collection of information is conducted in a manner consistent with the guidelines in 5 CFR 1320.6.


  1. If applicable, provide a copy and identify the date and page number of publication in the Federal Register of the agency's notice, required by 5 CFR 1320.8 (d), soliciting comments on the information collection prior to submission to OMB. Summarize public comments received in response to that notice and describe actions taken by the agency in response to these comments. Specifically address comments received on cost and hour burden.

The Forest Service solicited comments on information collection 0596-0082 in a Federal Register notice published on May 29, 2020, Vol. 85, No. 104, pages 32,356-32,360. The 60-day comment period for the notice closed on July 28, 2020. The public was able to comment via fax, email, standard mail & able to inspect comments received at Office of the Director. The Forest Service did not receive any comments.


Describe efforts to consult with persons out­side the agency to obtain their views on the availability of data, frequency of collection, the clarity of instructions and record keeping, disclosure, or reporting format (if any), and on the data elements to be recorded, disclosed, or reported.



Consultation with representatives of those from whom information is to be obtained or those who must compile records should occur at least once every 3 years even if the col­lection of information activity is the same as in prior periods. There may be circumstances that may preclude consultation in a specific situation. These circumstances should be explained.


Table 1.


Valerie Thomas                |  SCSN Manager, Geophysicist
U.S. Geological Survey        |  office:  (626)583-7820
Caltech Seismological Lab     |  cell:    (626)646-3898
525 So. Wilson Ave            |
[email protected]  or
Pasadena, CA  91106           |
[email protected]

  • FS-2700-3a

    • Takes about 10 minutes to complete.

    • Extremely easy and intuitive form.

  • FS-2700-10

    • Takes about 10 minutes to complete after I gather all the data (that can take an hour or so, because I'm not very familiar with our radio frequency licenses).

    • The form makes sense, but does require some level of technical knowledge to complete.  A regular user like me needs the assistance of our technical experts to figure it out.  At the same time, I find this an extremely valuable form:  it allows all users of a comm site to communicate to the FS what our frequency usages are, and the fact that the FS gathers this data makes it much easier to sort our frequency conflicts when they arise.

  • FS-299

    • Take a couple of hours to fill out (or at least gather all the information that will be attached).

    • This one is a bear to fill out.  It requests a lot of information (which is all needed) but does not give sufficient room.  For larger projects it might be easier to give up the form and simply request a document that responds to the questions in order.  The good news is that box 7 (project description) on the form recommends attaching additional sheets where necessary.  Instead of filling in box 7, we've developed a project description template that we modify as needed for each individual project and attach to the SF-299.  Because editing in Word is so much easier than in PDF, it's awfully tempting to simply include the answers to 12 - 20 in the external document instead of trying to wrestle the answers into the space on the form.  When working with the SF-299 I get the feeling I'm working around the form rather than filling it in.  But in the end as long as we communicate what is needed, I think we're okay:)

  • FS-2700-10a

    • Takes about 5 minutes to complete.

    • Extremely easy and intuitive form.


Matt Wade
Advocacy & Policy Director
303.271.0984
[email protected]


FS 2700-3f Special Use Application & Temporary Permit for Outfitting and Guiding

Time to complete and compile materials 8 -16hrs

Some offices request the use of an SF-299 rather than this form which is not pertinent to outfitting and guiding.


Sharon E. Thompson

Executive Assistant / Contracts Administrator

Southeast Alaska Power Agency

1900 First Avenue, Suite 318 | Ketchikan, AK 99901

P 907.228.2281 | C 907.617.8420 | F 907.225.2287

The form I use the most is the Communications Site Tenant/Customer Inventory (FS-2700-10a) (revised 2/17); it takes about 15 minutes to complete and I find it well laid out and do not suggest any changes. I asked around for the staff that was available and none of them use any of the forms therefore no suggestions.


Thank you for reaching out to us and hope you have a great weekend!



  1. Explain any decision to provide any payment or gift to respondents, other than re-enumeration of contractors or grantees.

The Forest Service does not provide any gift or payment to the respondents regarding information collection requirements of 36 CFR Part 251, Subpart B, for Special Uses.


  1. Describe any assurance of confidentiality provided to respondents and the basis for the assurance in statute, regulation, or agency policy.

The Privacy Act of 1974 (5 U.S.C. 552a) protects proprietary and confidential information.




  1. Provide additional justification for any questions of a sensitive nature, such as sexual behavior or attitudes, religious beliefs, and other matters that are commonly considered private. This justification should include the reasons why the agency considers the questions necessary, the specific uses to be made of the information, the explanation to be given to persons from whom the information is requested, and any steps to be taken to obtain their consent.

Questions of a sensitive nature are not asked or included on any form in this information collection.


  1. Provide estimates of the hour burden of the collection of information. Indicate the number of respondents, frequency of response, annual hour burden, and an explanation of how the burden was estimated.


Indicate the number of respondents, frequency of response, annual hour burden, and an explanation of how the burden was estimated. If this request for approval covers more than one form, provide separate hour burden estimates for each form.

a) Description of the collection activity

b) Corresponding form number (if applicable)

c) Number of respondents

d) Number of responses annually per respondent,

e) Total annual responses (columns c x d)

f) Estimated hours per response

g) Total annual burden hours (columns e x f)


Table 2 – List of Forms and Burden Hours-DOI

This table only included information collection for the SF-299 from DOI agencies. The SF-299 has been moved to a new ICR 0596-0249 and therefore its burden information is not relevant to this collection.


Table 3 – List of Forms and Burden Hours-Forest Service

(a)

(b)

(c)

(d)

(e)

(f)

(g)

Description of the Collection Activity

Form Number

Number

of Respondents

Previous 3 years


Number of responses annually per Respondent

Average annual responses

Estimate of Burden Hours per response

Estimated Total Annual Burden Hours

 

 

 

 

(c x d)/3

 

(e x f)

CATEGORY 1: APPLICATION PROCESS

2017 2018 2019

Request for Taxpayer Identification Number and Certification

W-9 (IRS)

0

0

0

1

50,000

0.25

12,500

Holder Initiated Revocation of Existing Authorization, Request for a Special Use Permit

FS-2700-3a

3420

3412

3610

1

3481

0.5

1740

Special Use Application & Permit for Noncommercial Group Use

FS-2700-3b

505

441

395

1

447

0.25

112

Special Use Application & Permit for Recreation Events

FS-2700-3c

3317

3362

3343

1

3341

1

3341

Special Use Application & Permit for Government Owned Buildings

FS-2700-3e

78

65

54

1

66

0.25

16

Special Use Application & Temporary Permit for Outfitting and Guiding

FS-2700-3f

1090

1216

1324

1

1210

4

4840

Technical Data – Communications Type Land Use

FS-2700-10

3720

2734

2986

1

3147

0.25

786

Agreement Concerning Small Business Administration Loan for Holder of Special Use Permit

FS-2700-11

30

30

30

1

30

0.25

7

Agreement Concerning Loan for Holder of Special Use Permit

FS-2700-12

64

64

64

1

64

1

64

Application for Permit for Archaeological Investigations 

FS-2700-30

145

140

175

1

153

4

613

Application for Permit for Paleontological Resources Preservation

FS-2800-22A

27

24

30

1

27

16

432


Insurance Endorsement Special Use Authorization

FS-2700-33

2,750

2,750

2,750

1

2,750

0.25

687

Prospectus for Campground and Related Granger-Thye Concessions

FS-2700-34

196

114

83

1

131

10

1310

Financial Statement

FS-6500-24

130

130

130

1

130

8

1,040

Request for Verification

FS-6500-25

130

130

130

1

130

0.5

65

Information to evaluate prospectus applications

No Form

60

60

60

1

60

20

1,200

CATEGORY 2: SPECIAL USE AUTHORIZATIONS

Special Use Permit

FS-2700-4

3227

2396

1270

1

2293

1

2298

Forest Road Special Use Permit

FS-2700-4b

303

237

142

1

227

1

227

Private Road Special Use Permit

FS-2700-4c

826

426

253

1

502

1

502

Temporary Cost Share Agreement Road Special Use Permit

FS-2700-4d

2

2

2

1

2

1

2

Special Use Permit for Campground and Related Granger-Thye Concessions

FS-2700-4h

80

74

32

1

62

1

62

Appendix B – Annual Granger-Thye Fee Offset Agreement

FS-2700-4h, Appendix B

279

274

220

1

257

2

515

Appendix F - Special Use Permit for Campground and Related Granger-Thye Concessions

FS-2700-4h, Appendix F

196

114

83

1

131

0.5

65

Appendix G – Granger-Thye Fee Offset Claim Certification

FS-2700-4h, Appendix G

738

607

578

1

641

1

641

Special Use Permit for Outfitting & Guiding

FS-2700-4i

1059

985

802

1

949

1

949

Special Use Permit for a Federal Agencies Electric Transmission Line Permit

FS-2700-4j

70

4

11

1

29

1

29

Special Use Permit for Equestrian Outfitting on the Shawnee National Forest

FS-2700-4-Shawnee

16

12

12

1

13

1

13

Term Special Use Permit

FS-2700-5

36

30

35

1

34

1

34

Term Special Use Permit for Recreation Residences

FS-2700-5a

1693

1170

539

1

1134

1

1134

Term Special Use Permit for Recreation Residences on Grand Island

FS-2700-5a-GI-Grand Island

0

0

0

1

0

1

0


Ski Area Term Special Use Permit

FS-2700-5b

12

10

5

1

9

1

9

Resort/Marina Term Special Use Permit

FS-2700-5c

67

54

35

1

52

1

52

Resort Supplement for Outfitting& Guiding

FS-2700-5d

28

20

24

1

24

1

24

Agricultural Irrigation and Livestock Watering System Easement

FS-2700-9a

81

21

13

1

39

1

39

Cost Share Easement

FS-2700-9d

0

0

1

1

1

1

1

Non-Cost Share Easement

FS-2700-9e

10

7

6

1

8

1

8

Public Road Easement

FS-2700-9f

129

41

23

1

65

1

65

Forest Road Easement Issued Under the National Forest Roads & Trails act

FS-2700-9g

6

3

6

1

5

1

5

Private Road Easement Issued Under the National Forest Roads and Trails Act

FS-2700-9h

100

100

100

1

100

1

100

Forest Road Easement issued under the Federal Land Policy and Management Act

FS- 2700-9i

10

16

17

1

14

1

14

Private Road Easement Issued Under The Federal Land Policy and Management Act

FS-2700-9j

82

56

17

1

52

1

52

Communications Use Lease

FS-2700-10b

167

203

152

1

174

1

174

Communications use Permit for Federal Agencies

FS-2700-10c

14

15

24

1

18

1

18

Amendment for Special Use Authorization Cost Recovery Agrmt

FS-2700-23

786

746

709

1

747

1

747

Temporary Special Use Permit

FS-2700-25

1187

1105

1056

1

1116

1

1116

Category 6 Major Cost Recovery Agreement

FS-2700-26

800

800

700

1

766

8

6133

Category 5 Major Cost Recovery Agreement

FS-2700-26b

250

250

100

1

200

8

1600

Electric Transmission Line Easement

FS-2700-31

2

2

18

1

7

1

7

Permit for Archeological Investigations

FS-2700-32

204

170

170

1

181

4

724

Tuolumne Wild and Scenic River Permit

Stanislaus FS-2300-1A

132

112

83

1

109

.3

33

Cherry Creek Self-Registration Permit

Stanislaus FS-2300-1B

31

55

10

1

32

.3

9

Notice to Alaska Native Corporations Regarding Prospectus for Visitor Services

FS-2700-27

5

5

5

1

5

20

100

Authorization to Conduct Paleontological Resources Research or Collection

FS-2800-22B
(re-numbered from and separated from FS-2700-36)

17

21

25

1

21

40

840


CATEGORY 3: ANNUAL FINANCIAL INFORMATION

Reconciliation of Sales for Fee Calculation

FS-2700-7


400

384

386

1

390

1

390

Reconciliation of Gross Fixed Assets (GFA) to Booked Amounts

FS-2700-8

200

120

87

1

135


1

135


Communications Site Tenant/Customer Inventory

FS-2700-10a

3300

3300

3300

1

3300

1

3300

Fee Calculation for Concession Permits

FS-2700-19

392

384

386

1

388

1

388

Fee Calculation for Ski Area Permits

FS-2700-19a

114

116

135

1

121

1

121

Financing or Eligible for Financing of Telephone Facilities (Rural Utility Service required form)

FS-2700-38

149

142

136

1

142

1

142

Providing financial or use information

No Form

7,840

7,806

6,386

1

7,344

1

7,344

CATEGORY 4: PREPARING AND UPDATING OPERATING PLANS


Annual or multi-year operating plans

No Form

29,925

29,925

29,925

1

29,925

1

29,925

CATEGORY 5: PREPARING AND UPDATING MAINTENANCE PLANS


Annual or multi-year maintenance plans

No Form

835

835

835

1

835

2

1,670

CATEGORY 6: COMPLIANCE REPORTING AND INFORMATION UPDATES


Recreation Residence Self-Inspection Report

FS-2700-6b

14,500

14,500

14,500

1

14,500

2.5

36,250

Inspection form for Special Uses

FS-2700-1

11550

10418

10745

1

10904

.25

2726

Paleontological Investigation Report Form

FS-2800- 22C

17

21

25

1

21

16

336

Paleontological Specimen Data Form

FS-2800- 22D

17

21

25

1

21

8

168

Providing and compiling information for compliance

No Form

10,400

10,400

10,400

1

10,400

2

20,800







Estimated Annual Responses


Estimated Annual Burden Hours

Grand
Total


153,612


150,789


Provide estimates of annualized cost to respondents for the hour burdens for collections of information, identifying and using appropriate wage rate categories.



Table 4 Estimated Annualized Cost to Respondents-Forest Service and DOI combined


(a)

Description of the Collection Activity

(b)

Estimated Total Annual Burden on Respondents (Hours)

(c)*

Estimated Average Income per Hour

(d)

Estimated Cost to Respondents

1. The Application Process

28,753

$26

$747,578

2. Special Use Authorizations

18,341

$26

$476,866

3. Annual Financial Information

11,820

$26

$307,320

4. Preparing and Updating Operating Plans

29,925

$26

$778,050

5. Preparing and Updating Maintenance Plans

1670

$26

$43,420

6. Compliance Reports and Information Updates

60,280

$26

$1,567,280

Totals

150,789

---

$3,920,514


The Mean average hourly rate of $25.72 for all occupations from the most recent (2019) Bureau of Labor Statistics was used rounded to $26 (https://www.bls.gov/oes/current/oes_nat.htm#00-0000). The salaries of employees supporting these authorizations range from high values in the Utility industry to lower values of the retail and recreation industries. These authorizations reflect uses in diverse geographic areas from Alaska to Florida, New England to California. The national mean average is the best value to use with table 4.


The hourly rate for private industry (sector) includes the fringe benefits.



  1. Provide estimates of the total annual cost burden to respondents or record keepers resulting from the collection of information, (do not include the cost of any hour burden shown in items 12 and 14). The cost estimates should be split into two components: (a) a total capital and start-up cost component annualized over its expected useful life; and (b) a total operation and maintenance and purchase of services component.

There are no capital/start-up or operation and maintenance costs associated with this information collection.


  1. Provide estimates of annualized cost to the Federal government. Provide a description of the method used to estimate cost and any other expense that would not have been incurred without this collection of information.

The response to this question covers the actual costs the agency will incur as a result of implementing the information collection. The estimate should cover the entire life cycle of the collection and include costs, if applicable, for:

  • Employee labor and materials for developing, printing, storing forms

  • Employee labor and materials for developing computer systems, screens, or reports to support the collection

  • Employee travel costs

  • Cost of contractor services or other reimbursements to individuals or organizations assisting in the collection of information

  • Employee labor and materials for collecting the information

  • Employee labor and materials for analyzing, evaluating, summarizing, and/or reporting on the collected information


The salary for a GS-9, step 5 was from the www.opm.gov and the fringe benefits are included with the $24/per hour wages specified below.



Table 5 – Estimated Annual Cost to the Government

ACTION ITEM

PERSONNEL

GS LEVEL

HOURLY RATE*

HOURS

SALARY

1. The Application Process

Resource Specialists

9/5

$24

28,753

$690,072

2. Special Use Authorizations

Resource Specialists

9/5

$24

18,341

$440,184

3. Annual Financial Information

Resource Specialists

9/5

$24

11,820

$283,680

4. Preparing and Updating Operating Plans

Resource Specialists

9/5

$24

29925

$718,200

5. Preparing and Updating Maintenance Plans

Resource Specialists

9/5

$24

1670

$40,080

6. Compliance Reports and Information Updates

Resource Specialists

9/5

$24

60,280

$1,446,720

Special Use Database System (Annual Program cost)





$450,000

TOTALS




150,789

$4,068,936

* Taken from: https://www.opm.gov/policy-data-oversight/pay-leave/salaries-wages/salary-tables/pdf/2019/GS_h.pdf , 2019 General Schedule (Base),Cost to Government calculated at hourly wage The rate for a GS 9 / Step 5 is $24.15, has been rounded to $24.


  1. Explain the reasons for any program changes or adjustments reported in items 13 or 14 of OMB form 83-I.

There is a decrease in the number of respondents, responses and burden hours.  The decrease is due to the removal of form SF-299.


  1. For collections of information whose results are planned to be published, outline plans for tabulation and publication.

There are no plans to publish the results of this information collection.


  1. If seeking approval to not display the expiration date for OMB approval of the information collection, explain the reasons that display would be inappropriate.

The Forest Service requested and was exempted from displaying the OMB expiration date on the previous Paperwork Reduction Act submission. Many of the Authorizations are valid for periods of up to 40 years from the date of execution. Holders of Forest Service Special Use authorizations often confuse OMB’s expiration date with the Forest Service’s date for expiration of the authorized use, or with the date a form was last revised (usually to reflect corrections due to typographical errors, misspells, and so forth). Therefore, we are requesting approval to not display the OMB expiration date on forms covered by OMB information collection #0596-0082.


  1. Explain each exception to the certification statement identified in item 19, "Certification Requirement for Paperwork Reduction Act."

There are no exceptions to the certification statement. The agency is able to certify compliance with all provisions under Item19 of OMB form 83-I, Certification Requirements for Paperwork Reduction Act.

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