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Notice

Information Collection Request; Chemical Facility Anti-Terrorism Standards Personnel Surety Program

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Start Preamble

AGENCY:

National Protection and Programs Directorate, DHS.

ACTION:

60-Day notice and request for comments; New Information Collection Request: 1670—NEW.

SUMMARY:

The Department of Homeland Security (DHS), National Protection and Programs Directorate (NPPD), Office of Infrastructure Protection (IP), Infrastructure Security Compliance Division (ISCD) will submit the following Information Collection Request (ICR) to the Office of Management and Budget (OMB) for review and clearance in accordance with the Paperwork Reduction Act (PRA) of 1995 (Pub. L. 104-13, 44 U.S.C. Chapter 35). This is a new information collection and follows the withdrawal of a previous ICR on the same topic.[1] The purpose of this notice is to solicit comments during a 60-day public comment period prior to the submission of this ICR to OMB. The submission describes the nature of the information collection, the categories of respondents, the estimated burden (in hours), and the estimated burden cost necessary to implement the Chemical Facility Anti-Terrorism Standards (CFATS) Personnel Surety Program pursuant to 6 CFR 27.230(a)(12)(iv).

DATES:

Comments are encouraged and will be accepted until May 21, 2013. This process is conducted in accordance with 5 CFR 1320.8.

ADDRESSES:

Interested persons are invited to submit comments on the proposed information collection through the Federal eRulemaking Portal at http://www.regulations.gov. All submissions received must include the words “Department of Homeland Security” and the docket number DHS-2012-0061. Except as provided below, comments received will be posted without alteration at http://www.regulations.gov, including any personal information provided.

Comments that include trade secrets, confidential commercial or financial information, Chemical-terrorism Vulnerability Information (CVI),[2] Sensitive Security Information (SSI),[3] or Protected Critical Infrastructure Information (PCII) [4] should not be submitted to the public regulatory docket. Please submit such comments separately from other comments in response to this notice. Comments containing trade secrets, confidential commercial or financial information, CVI, SSI, or PCII should be appropriately marked and packaged in accordance with applicable requirements and submitted by mail to the DHS/NPPD/IP/ISCD CFATS Program Manager at the Department of Homeland Security, 245 Murray Lane, SW., Mail Stop 0610, Arlington, VA 20528-0610. Comments must be identified by docket number DHS-2012-0061.

Table of Contents

I. Supplementary Information

  • Summary of Options Available to High-Risk Chemical Facilities To Comply With RBPS 12(iv)
  • Scope of This Notice and Commitment To Explore Additional Options in the Future
  • Who Is Impacted by The CFATS Personnel Surety Program?
  • What/Who Is the Source of the Information Under Option 1 and Option 2
  • CSAT User Roles and Responsibilities
  • Burden Resulting From the Submission of Duplicate Records About an Affected Individual
  • Compliance With RBPS 12(iv) and the Potential for Increased Burden To Enter the Restricted Areas or Critical Assets at a High-Risk Chemical Facility
  • Compliance With RBPS 12(iv) and Infrequent “Unescorted Visitors”
  • Additional Data Privacy Considerations

II. Information Collected About Affected Individuals

  • Option 1: Collecting Information To Conduct Direct VettingStart Printed Page 17681
  • Option 2: Collecting Information To Use of Vetting Conducted Under Other DHS Programs
  • Option 3: Electronic Verification of TWIC
  • Other Information Collected

III. Request for Exception to the Requirement Under 5 CFR 1320.8(b)(3)

IV. Responses to Previous Comments

V. The Department's Methodology in Estimating the Burden

  • Frequency
  • Affected Public
  • Number of Respondents

○ Number and Type of High-Risk Chemical Facilities

○ Estimated Number of Affected Individuals at Each Type of High-Risk Chemical Facility—Unescorted Visitors With Access to Restricted Areas or Critical Assets

○ Estimated Number of Affected Individuals at Each Type of High-Risk Chemical Facilities—Facility Personnel With Access to Restricted Areas or Critical Assets

○ Summary of Alternatives To Estimate the Number of Respondents

○ Limitation of Respondents to Tier 1 and Tier 2 Facilities

  • Estimated Time per Respondent
  • Total Burden Hours
  • Total Burden Cost (Capital/Startup)

○ Estimating Capital Costs for Option 3—Number and Type of High-Risk Chemical Facilities That May Choose To Use Option 3

○ Estimating Capital Costs for Option 3—TWIC Readers Costs

○ Consideration of Other Capital Costs

  • Recordkeeping Costs
  • Total Burden Cost (Operating/Maintaining)

VI. Solicitation of Comments

VII. Analysis

I. Supplementary Information

Section 550 of the Department of Homeland Security Appropriations Act of 2007, Public Law 109-295 (2006) (“Section 550”), provides the Department with the authority to identify and regulate the security of high-risk chemical facilities using a risk-based approach. On April 9, 2007, the Department issued the CFATS Interim Final Rule (IFR) implementing this statutory mandate. See 72 FR 17688.

Section 550 requires that the Department establish risk-based performance standards (RBPS) for high-risk chemical facilities and under CFATS the Department promulgated 18 RBPS. Each chemical facility that has been finally determined by the Department to be high-risk must submit a Site Security Plan (SSP), or an Alternative Security Program (ASP) if the facility so chooses, for Department approval that satisfies each applicable RBPS. RBPS 12—Personnel Surety—requires high-risk chemical facilities to:

Perform appropriate background checks on and ensure appropriate credentials for facility personnel, and as appropriate, for unescorted visitors with access to restricted areas or critical assets, including, (i) Measures designed to verify and validate identity; (ii) Measures designed to check criminal history; (iii) Measures designed to verify and validate legal authorization to work; and (iv) Measures designed to identify people with terrorist ties[.]

See 6 CFR 27.230(a)(12).

As explained by the Department in the preamble to the CFATS IFR, the ability to identify affected individuals (i.e., facility personnel or unescorted visitors with access to restricted areas or critical assets at high-risk chemical facilities) who have terrorist ties is an inherently governmental function and necessarily requires the use of information held in government-maintained databases that are unavailable to high-risk chemical facilities. See 72 FR 17709 (April 9, 2007). Thus, under RBPS 12(iv), the Department and high-risk chemical facilities must work together to satisfy the “terrorist ties” aspect of the Personnel Surety performance standard. As a result, the CFATS Personnel Surety Program will identify individuals with terrorist ties that have or are seeking access to the restricted areas and/or critical assets at the nation's high-risk chemical facilities. Accordingly, in the preamble to the CFATS IFR, the Department outlined two potential approaches to help high-risk chemical facilities satisfy that particular standard, both of which would involve high-risk chemical facilities submitting certain information to the Department. See id.

The first approach would involve facilities submitting certain information about affected individuals to the Department, which the Department would use to vet those individuals for terrorist ties. Specifically, identifying information about affected individuals would be compared against identifying information of known or suspected terrorists contained in the Federal Government's consolidated and integrated terrorist watchlist, the Terrorist Screening Database (TSDB), which is maintained on behalf of the federal government by the Department of Justice (DOJ) Federal Bureau of Investigation (FBI) in the Terrorist Screening Center (TSC).[5]

In order to avoid unnecessary duplication of terrorist screening, the Department also described an additional approach under which high-risk chemical facilities would submit information about affected individuals possessing certain credentials that rely on Security Threat Assessments conducted by the Department. See 72 FR 17709 (April 9, 2007).

The Department has now developed a CFATS Personnel Surety Program that will provide high-risk chemical facilities additional options to comply with RBPS 12(iv) while continuing to make available the two alternatives outlined in the preamble to the CFATS IFR. In addition to the alternatives expressly described in this document, the Department also intends to permit high-risk chemical facilities to propose other alternative measures for terrorist ties identification in their SSPs or ASPs, which the Department will consider on a case-by-case basis in evaluating high-risk chemical facilities' SSPs or ASPs.

As a result of the CFATS Personnel Surety Program, regardless of the option, the Department will identify individuals with terrorist ties that have or are seeking access to the restricted areas and/or critical assets at the nation's high-risk chemical facilities.

The first option is consistent with the primary approach described in the CFATS IFR preamble, as discussed above. Under Option 1—Direct Vetting, high-risk chemical facilities (or others acting on their behalf) would submit certain information about affected individuals to the Department through a Personnel Surety application in an online technology system developed under CFATS called the Chemical Security Assessment Tool (CSAT). Access to and the use of CSAT is provided free of charge to high-risk chemical facilities (or others acting on their behalf).

Under this option, information about affected individuals submitted by, or on behalf of, high-risk chemical facilities would be vetted against information contained in the Federal Government's consolidated and integrated terrorist watchlist.

The second option is also consistent with the second approach described in the CFATS IFR preamble. Under Option 2—Use Of Vetting Conducted Under Other DHS Programs, high-risk chemical facilities (or others acting on their behalf) would also submit certain information about affected individuals to the Department through the CSAT Personnel Surety application.

Option 2 would, however, allow high-risk chemical facilities and the Department to take advantage of the vetting for terrorist ties already being conducted on affected individuals enrolled in the Transportation Worker Identification Credential (TWIC) Program, Hazardous Materials Endorsement (HME) Program, as well as the NEXUS, Secure Electronic Network Start Printed Page 17682for Travelers Rapid Inspection (SENTRI), Free and Secure Trade (FAST), and Global Entry Trusted Traveler Programs.[6] All of these programs conduct terrorist ties vetting equivalent to the terrorist ties vetting that would be conducted under Option 1.[7] Under Option 2, high-risk chemical facilities, or their designees (e.g., third parties), could submit information to the Department about affected individuals possessing the appropriate credentials to enable the Department to electronically verify the affected individuals' enrollments in these other programs. The Department would subsequently notify the designee of the high-risk chemical facility (e.g., the Submitter) whether or not an affected individual's enrollment in one of these other DHS programs was electronically verified. The Department would also periodically re-verify each affected individual's continued enrollment in one of these other programs, and notify the appropriate designee of the high-risk chemical facility of significant changes in the status of an affected individual's enrollment (e.g., if an affected individual who has been enrolled in the HME Program ceases to be enrolled, the Department would change the status of the affected individual in the CSAT Personnel Surety application and notify the Submitter). Electronic verification and re-verification would enable the Department and the high-risk chemical facility to ensure that an affected individual's credential or endorsement is appropriate to rely on (i.e., an indicator that the affected individual is being recurrently vetted for terrorist ties) in compliance with RBPS 12(iv).

In addition to Option 1 and Option 2, the Department has considered other potential options to help high-risk chemical facilities satisfy RBPS 12(iv). In particular, the Department has investigated the feasibility of options that would not involve the submission of information about an affected individual if the affected individual participated in one of the programs identified under Option 2. The Department believes that, for the purpose of compliance with RBPS 12(iv), simply relying on a visual inspection of a credential or endorsement is inadequate because the credential or endorsement could be expired, revoked, or fraudulent. However, the Department has concluded that information about an affected individual, enrolled in a DHS program that conducts vetting for terrorist ties equivalent to the vetting that would be conducted under Option 1, would not need to be submitted to the Department if the credential in the possession of the affected individual is electronically verified and validated.

Accordingly, the Department plans to offer high-risk chemical facilities a third option. Under Option 3—Electronic Verification of TWIC, a high-risk chemical facility (or others acting on their behalf) would not submit information about affected individuals in possession of TWICs to the Department if the high-risk chemical facility (or others acting on their behalf) electronically verify and validate the affected individuals' TWICs through the use of TWIC readers (or other technology that is periodically updated using the Canceled Card List).[8] Any high-risk chemical facilities that choose this option would need to describe in their SSPs or ASPs the procedures they will follow if they choose to use TWIC readers for compliance with RBPS 12(iv).[9]

High-risk chemical facilities would have discretion as to which option(s) to use for an affected individual. For example, even though a high-risk chemical facility could comply with RBPS 12(iv) for certain affected individuals by using Option 2, the high-risk chemical facility could choose to use Option 1 for those affected individuals. Similarly, a high-risk chemical facility, at its discretion, may choose to use either Option 1 or Option 2 rather than Option 3 for affected individuals who have TWICs. High-risk chemical facilities also may choose to combine Option 1 with Option 2 and/or Option 3, as appropriate, to ensure that adequate terrorist ties checks are performed on different types of affected individuals (e.g., employees, contractors, unescorted visitors). Each high-risk chemical facility will need to describe how it will comply with RBPS 12(iv) in its SSP or ASP.

In addition to the options described above for satisfying RBPS 12(iv), high-risk chemical facilities are welcome to propose alternative or supplemental options not described in this PRA notice in their SSPs or ASPs. The Department will assess the adequacy of such alternative or supplemental options on a facility-by-facility basis, in the course of evaluating each facility's SSP or ASP.

Although outside the scope of this PRA notice and the underlying ICR, the Department would like to highlight that high-risk chemical facilities also have other methods to address, or minimize the impacts of, compliance with RBPS 12(iv). For example, facilities may restrict the numbers and types of persons whom they allow to access their restricted areas and critical assets, thus limiting the number of persons who will need to be checked for terrorist ties. Facilities also have wide latitude in how they define their restricted areas and critical assets in their SSPs or ASPs, thus potentially limiting the number of persons who will need to be checked for terrorist ties. High-risk chemical facilities also may choose to escort visitors to restricted areas and critical assets in lieu of performing the background checks required by RBPS 12. For example, high-risk chemical facilities could propose in their SSPs or ASPs traditional escorting solutions and/or innovative escorting alternatives such as video monitoring (which may reduce facility security costs), as appropriate, to address the unique security risks present at each facility.

Summary of Options Available to High-Risk Chemical Facilities To Comply With RBPS 12(iv)

The purpose of the CFATS Personnel Surety Program is to identify individuals with terrorist ties that have or are seeking access to the restricted areas and/or critical assets at the nation's high-risk chemical facilities. As described above, under the CFATS Personnel Surety Program, for each affected individual a high-risk chemical facility would have at least three options under RBPS 12(iv):

  • Option 1—Direct Vetting: High-risk chemical facilities (or their designees) may submit information to the Department about an affected individual to be compared against information about known or suspected terrorists, and/orStart Printed Page 17683
  • Option 2—Use of Vetting Conducted Under Other DHS Programs: High-risk chemical facilities (or their designees) may submit information to the Department about an affected individual's enrollment in another DHS program so that the Department may electronically verify and validate that the affected individual is enrolled in the other program, and/or
  • Option 3—Electronic Verification of TWIC: High-risk chemical facilities may electronically verify and validate an affected individual's TWIC, through the use of TWIC readers (or other technology which is periodically updated using the Canceled Card List), rather than submitting information about the affected individual to the Department.

Regardless of the option, in the event that there is a potential match, the Department has procedures in place that it will follow to resolve the match and coordinate with appropriate law enforcement entities as necessary. High-risk chemical facilities may be contacted as part of law enforcement investigation activity, depending on the nature of the investigation.

Scope of This Notice and Commitment To Explore Additional Options in the Future

Since withdrawing the previous CFATS Personnel Surety Program ICR in July 2012,[10] the Department has had substantial dialogue with key CFATS stakeholders. The discussion included program design issues, the CSAT Personnel Surety application, options the Department has been considering to date, and additional options stakeholders have recommended for the Department's consideration, both in the short and long term.

The options described in this notice and, if approved, the subsequent ICR that the Department intends to submit to OMB would allow high-risk chemical facilities and the Department to implement the CFATS Personnel Surety Program within the Department's existing statutory and regulatory authority, and U.S. Government watchlisting policies.

The Department is committed, however, to continuing to work with interested stakeholders to identify additional potential options that could further reduce the burdens related to the CFATS Personnel Surety Program, while still meeting the national security mandate to reduce the risk of an individual with terrorist ties obtaining access to the restricted areas or critical assets at a high-risk chemical facility. The Department will consider and review any alternatives suggested as part of public comments on this notice and on any subsequent notices related to the CFATS Personnel Surety Program. Through both the PRA process and other ongoing dialogues, the Department will, as appropriate, also continue to work with stakeholders to identify potential additional alternatives as new technologies emerge, and as other terrorist ties vetting programs are modified or become available over time, so as to reduce the burden of this new information collection.

Who is impacted by the CFATS personnel surety program?

The CFATS Personnel Surety Program will provide high-risk chemical facilities the ability to submit certain biographic information about affected individuals to the Department. As explained above, affected individuals are (1) facility personnel who have access, either unescorted or otherwise, to restricted areas or critical assets, and (2) unescorted visitors who have access to restricted areas or critical assets.

There are also certain groups of persons that the Department does not consider to be affected individuals, such as (1) Federal officials that gain unescorted access to restricted areas or critical assets as part of their official duties; (2) state and local law enforcement officials that gain unescorted access to restricted areas or critical assets as part of their official duties; and (3) emergency responders at the state or local level that gain unescorted access to restricted areas or critical assets during emergency situations.

In some emergency or exigent situations, access to restricted areas or critical assets by other individuals who have not had appropriate background checks under RBPS 12 may be necessary. For example, emergency responders not described above may require such access as part of their official duties under appropriate circumstances. If high-risk chemical facilities anticipate that any individuals will require access to restricted areas or critical assets without visitor escorts or without the background checks listed in RBPS 12 under exceptional circumstances, facilities may describe such situations and the types of individuals who might require access in those situations in their SSPs or ASPs. The Department will assess the appropriateness of such situations, and any security measures to mitigate the inherent vulnerability in such situations, on a case-by-case basis as it reviews each high-risk chemical facility's SSP or ASP.

What/Who Is the Source of the Information Under Option 1 and Option 2

High-risk chemical facilities are responsible for complying with RBPS 12(iv). However, companies operating multiple high-risk chemical facilities, as well as companies operating only one high-risk chemical facility, may comply with RBPS 12(iv) in a variety of ways. High-risk chemical facilities, or their parent companies, may choose to comply with RBPS 12(iv) by identifying and submitting the information about affected individuals to the Department directly. Alternatively, high-risk chemical facilities, or their parent companies, may choose to comply with RBPS 12(iv) by outsourcing the information submission process to third parties.

The Department anticipates that many high-risk chemical facilities will rely on businesses that provide contract services (e.g., complex turn-arounds, freight delivery services, lawn mowing) to the high-risk chemical facilities to identify and submit the appropriate information about affected individuals they employ to the Department for vetting pursuant to RBPS 12(iv). Businesses that provide services to high-risk chemical facilities may in turn choose to manage compliance with RBPS 12(iv) themselves or to acquire the services of other third party companies to submit appropriate information about affected individuals to the Department.

CSAT User Roles and Responsibilities

To minimize the burden of submitting information about affected individuals, under Options 1 and 2 (as described above), high-risk chemical facilities would have wide latitude in assigning CSAT user roles to align with their business operations and/or the business operations of third parties that provide contracted services to them.[11] In response to previous comments submitted to the Department about the CFATS Personnel Surety Program, the Department intends to structure the CSAT Personnel Surety application to allow designees of high-risk chemical facilities to submit information about affected individuals to the Department on behalf of high-risk chemical facilities.

High-risk chemical facilities will be able to structure their CSAT user roles Start Printed Page 17684to submit information about affected individuals to the Department in three ways:

(1) A high-risk chemical facility could directly submit information about affected individuals, and designate one or more officers or employees of the facility as a Personnel Surety Submitter; and/or

(2) A high-risk chemical facility could submit information about affected individuals by designating one or more individuals affiliated with a third party (or with multiple third parties) to a user role(s) designated for third parties; and/or

(3) A company owning several high-risk chemical facilities could consolidate its submission process for affected individuals. Specifically, the company could designate one or more persons as CSAT users, and those users could submit information about affected individuals on behalf of all of the high-risk chemical facilities on a company-wide basis.

Burden Resulting From the Submission of Duplicate Records About an Affected Individual

The Department is aware that an affected individual may be associated with multiple high-risk chemical facilities, and thus information about an affected individual may be submitted to the Department multiple times by different high-risk chemical facilities and/or their designated third parties. However, the Department has learned in its dialogue with stakeholders (including third-party companies that conduct background checks for high-risk chemical facilities) that the duplicate submission of records about affected individuals is a common industry practice for companies when managing information about individuals. Specifically, when a person who has already had a background check (e.g., verification of legal authorization to work or criminal history) needs a new background check for different companies or for a new or different purpose (e.g., change in jobs or contract), third parties that routinely conduct background checks routinely will submit information about a person again to agencies responsible for maintaining relevant information (e.g., state motor vehicle databases, e-verify). Therefore, for the purpose of this notice, the Department's estimation of burden accounts for potential multiple submissions of information about affected individuals by high-risk chemical facilities and their designated third parties.

Compliance With RBPS 12(iv) and the Potential for Increased Burden To Enter the Restricted Areas or Critical Assets at a High-Risk Chemical Facility

Since the Department first began seeking to implement the CFATS Personnel Surety Program, stakeholders have expressed concern that the submission of information about affected individuals under Option 1 and Option 2 to the Department would impede the ability of affected individuals to enter the restricted areas or critical assets at high-risk chemical facilities. The Department does not believe that if a facility complies with RBPS 12(iv) the high-risk chemical facility will, on a routine basis, experience an unreasonable impact in allowing affected individuals access to restricted areas or critical assets.

In general, the Department expects that high-risk chemical facilities or their designees (e.g., third parties or companies employing affected individuals that provide services to high-risk chemical facilities) will already possess much, if not all, of the necessary information about affected individuals as a result of standard business practices related to employment or managing of service contracts. In the event that high-risk chemical facilities, or their designees, need to collect any additional information for the purpose of complying with RBPS 12(iv), they have significant flexibility in how to collect this information since CFATS does not prescribe how to do so.

The Department also expects that high-risk chemical facilities will likely consolidate RBPS 12(iv) processing with related routine hiring and access control procedures involving background checks that are already occurring prior to access by facility personnel or unescorted visitors to restricted areas or critical assets. Consolidating RBPS 12(iv) processing with these other routine procedures would allow submission of personal information already collected and maintained by facilities or their designees (e.g., a third party, contracted service company, or third party acting on behalf of a contracted service company) to the Department under RBPS 12(iv) before affected individuals require access to restricted areas or critical assets.

As mentioned above, third parties could submit screening information to the Department on behalf of high-risk chemical facilities as part of facilities' routine hiring and access control procedures. Some stakeholders have expressed concerns to the Department about submission of screening information by third parties, suggesting that in such cases facilities would not be able to adequately oversee third parties' work to ensure appropriate information submission to the Department. The Department expects, however, that high-risk chemical facilities could audit and/or review their third party designees' information collection and submission processes, to ensure that their designees submit appropriate information.

Compliance With RBPS 12(iv) and Infrequent “Unescorted Visitors”

Since the Department first began developing the CFATS Personnel Surety Program, some stakeholders have expressed concern that the submission of information to DHS about unescorted visitors who have only rare or infrequent access to high-risk chemical facilities would be overly burdensome and would make access by such infrequent unescorted visitors too difficult. As a general matter, however, the Department does not believe it likely that many high-risk chemical facilities will propose in their SSPs or ASPs to allow large numbers of visitors who visit the high-risk chemical facility infrequently to have unescorted access to restricted areas and critical assets, because then all four types of background checks listed in RBPS 12 would be required to be conducted for them. High-risk chemical facilities could choose to escort infrequent visitors in lieu of performing the four types of RBPS 12 background checks on them.

However, even for infrequent unescorted visitors that the high-risk chemical facility chooses to conduct all four types of background checks on, the Department does not expect data submission to the Department in compliance with RBPS 12(iv) to impede routine access procedures because the data submission is likely to be accomplished in concert with the other routine hiring and access control involving background check described above.

Additional Data Privacy Considerations

There are various privacy requirements for high-risk chemical facilities, their designees, and the Department related to the exchange of personally identifiable information (PII) for the CFATS Personnel Surety Program. Upon receipt of PII, the Department complies with all applicable federal privacy requirements including the Privacy Act, the E-Government Act, the Homeland Security Act, and Departmental policy. The United States also follows international instruments on privacy, all Start Printed Page 17685of which are consistent with the Fair Information Practice Principles (FIPPs).[12] High-risk chemical facilities, or their designees, are responsible for complying with the federal, state, and national privacy laws applicable to the jurisdictions in which they do business. The Department believes that high-risk chemical facilities, or their designees, have multiple, established legal avenues that enable them to submit PII to the Department, which may include the Safe Harbor Framework,[13] and meet their privacy obligations.

II. Information Collected About Affected Individuals

Option 1: Collecting Information To Conduct Direct Vetting

If high-risk chemical facilities select Option 1 to satisfy RBPS 12(iv) for any affected individuals, the following information about these affected individuals would be submitted to the Department:

  • For U.S. Persons (U.S. citizens and nationals as well as U.S. lawful permanent residents):
  • Full Name
  • Date of Birth
  • Citizenship or Gender
  • For Non-U.S. Persons:
  • Full Name
  • Date of Birth
  • Citizenship
  • Passport information and/or alien registration number

To reduce the likelihood of false positives in matching against records in the Federal Government's consolidated and integrated terrorist watchlist, high-risk chemical facilities would also be able to submit the following optional information about affected individuals to the Department:

  • Aliases
  • Gender (for Non-U.S. Persons)
  • Place of Birth
  • Redress Number [14]

If a high-risk chemical facility chooses to submit information about an affected individual under Option 1, the following table summarizes the biographic data that would be submitted to the Department.

Table 1—Affected Individual Required and Optional Data Under Option 1

Data elements submitted to the departmentFor a U.S. personFor a non-U.S. person
Full NameRequired
Date of BirthRequired
GenderMust provide Citizenship or GenderOptional.
CitizenshipRequired.
Passport Information and/or Alien Registration NumberN/ARequired.
AliasesOptional
Place of BirthOptional
Redress numberOptional

Option 2: Collecting Information To USE of Vetting Conducted Under Other DHS Programs

In lieu of submitting information to the Department under Option 1 for terrorist ties vetting, chemical facilities would also have the option, where appropriate, to submit information to the Department to electronically verify that an affected individual is currently enrolled in one of the following DHS programs:

  • TWIC Program;
  • HME Program;
  • Trusted Traveler Programs, including:
  • NEXUS;
  • FAST;
  • SENTRI; and
  • Global Entry.

Information collected by the Department about affected individuals under Option 2 would not be used to conduct duplicative vetting against the Federal Government's consolidated and integrated terrorist watchlist.

To verify an affected individual's enrollment in one of these programs under Option 2, the Department would collect the following information about the affected individual:

  • Full Name;
  • Date of Birth; and
  • Program-specific information or credential information, such as unique number, or issuing entity (e.g., State for Commercial Driver's License (CDL) associated with an HME).

To further reduce the potential for misidentification, high-risk chemical facilities may also submit the following optional information about affected individuals to the Department:

  • Aliases
  • Gender
  • Place of Birth
  • Citizenship

If a high-risk chemical facility chooses to submit information about an affected individual under Option 2, the following table summarizes the biographic data that would be submitted to the Department.Start Printed Page 17686

Table 2—Affected Individual Required and Optional Data Under Option 2

Data elements submitted to the departmentFor affected individual with a TWICFor affected individual with an HMEFor affected individual enrolled in a Trusted Traveler Program (NEXUS, SENTRI, FAST, or Global Entry)
Full NameRequired
Date of BirthRequired
Expiration DateRequired
Unique Identifying NumberTWIC Serial Number: RequiredCDL Number: RequiredPASS ID Number: Required
Issuing State of CDLN/ARequiredN/A
AliasesOptional
GenderOptional
Place of BirthOptional
CitizenshipOptional

Under the CFATS Personnel Surety Program, a high-risk chemical facility would be able to choose to follow the process described for Option 1, and would not have to implement Option 2, even if an affected individual seeking access to the high-risk chemical facility is already enrolled in the TWIC Program, HME Program, or one of the Trusted Traveler Programs.

Option 3: Electronic Verification of TWIC

Under Option 3, a high-risk chemical facility would not need to submit information about an affected individual enrolled in the TWIC Program to the Department, if the high-risk chemical facility is able to electronically verify and validate the affected individual's TWIC through the use of a TWIC reader (or other technology that is periodically updated using the Canceled Card List).

As discussed above, under the CFATS Personnel Surety Program, high-risk chemical facilities would also be able to choose to follow the processes described for Option 1 and/or Option 2, for some or all affected individuals already enrolled in the TWIC Program, in lieu of or in addition to Option 3.

Other Information Collected

In addition to the information about affected individuals collected under Options 1 and 2, the Department plans to collect certain information that identifies the high-risk chemical facility, or facilities, at which each affected individual has or is seeking access to restricted areas or critical assets.

The Department may also contact a high-risk chemical facility or its designees to request additional information (e.g., visa information) pertaining to affected individuals in order to clarify suspected data errors or resolve potential matches (e.g., in situations where an affected individual has a common name). Such requests will not imply, and should not be construed to indicate, that an affected individual's information has been confirmed as a match to a record of an individual with terrorist ties.

In the event that a confirmed match is identified as part of the CFATS Personnel Surety Program, the Department may obtain references to and/or information from other government law enforcement and intelligence databases, or other relevant databases that may contain terrorism information.

The Department may collect information necessary to assist in the submission and transmission of records, including electronic verification that the Department has received a particular record.

The Department may also collect information about points of contact who the Department or Federal law enforcement personnel may contact with follow-up questions. A request for additional information from the Department does not imply, and should not be construed to indicate, that an individual is known or suspected to be associated with terrorism.

The Department may also collect information provided by individuals or high-risk chemical facilities in support of any adjudications requested under Subpart C of the CFATS regulation,[15] or in support of any other redress requests.[16]

The Department may request information pertaining to affected individuals, previously provided to the Department by high-risk chemical facilities or their designees, in order to confirm the accuracy of that information, or to conduct data accuracy reviews and audits as part of the CFATS Personnel Surety Program.

The Department will also collect administrative or programmatic information (e.g., affirmations or certifications of compliance, extension requests, brief surveys for process improvement) necessary to manage the CFATS Personnel Surety Program.

Under Options 1 and 2, the Department will also collect information that will allow high-risk chemical facilities and their designees to manage their data submissions. Specifically, the Department will make available to high-risk chemical facilities and their designees blank data fields. These blank data fields may be used by a high-risk chemical facility or its designees to assign each record of an affected individual a unique designation or number that is meaningful to the high-risk chemical facility. Collecting this information will enable a high-risk chemical facility to manage the electronic records it submits into the CSAT Personnel Surety application. Entering this information into the CSAT Personnel Surety application will be voluntary, and is intended solely to enable high-risk chemical facilities and their designees to search through, sort, and manage the electronic records they submit.Start Printed Page 17687

III. Request for Exception to the Requirement Under 5 CFR 1320.8(b)(3)

The Department is requesting from OMB an exception for the CFATS Personnel Surety Program to the PRA notice requirement in 5 CFR 1320.8(b)(3), which requires Federal agencies to confirm that their information collections provide certain reasonable notices under the PRA to affected individuals. If this exception is granted, the Department will be relieved of the potential obligation to require high-risk chemical facilities to collect signatures or other positive affirmations of these notices from affected individuals. Whether or not this exception is granted, Submitters must affirm that the required privacy notice regarding the collection of personal information has been provided to affected individuals before personal information is submitted to the Department.[17]

The Department's request for an exception to the PRA notice requirement under 5 CFR 1320.8(b)(3) would not exempt high-risk chemical facilities from having to adhere to applicable Federal, state, local, or tribal laws, or to regulations or policies pertaining to the privacy of affected individuals.

IV. Responses to Previous Comments

In June 2011, the Department submitted an ICR for the CFATS Personnel Surety Program to OMB for review. OMB subsequently received four comments about that ICR from members of the public and forwarded the comments to the Department for response. Each of the comments and the Department's responsive letters will be posted on the Federal eRulemaking Portal at www.regulations.gov under docket number DHS-2012-0061.

In June 2011, the Department solicited comments for 30 days about the CFATS Personnel Surety Program System of Records Notice (SORN) under Docket DHS-2011-0032.[18] Under Docket DHS-2011-0032, the Department received a comment that addressed the CFATS Personnel Surety Program ICR. The comment did not address the SORN or other CFATS Personnel Surety Program privacy issues. Therefore, the Department reviewed the comment and has responded to the comment under this docket in concert with the other comments submitted in June 2011 to OMB and the Department related to the CFATS Personnel Surety Program ICR.

In June 2011, the Department also solicited comments for 30 days about the Notice of Proposed Rulemaking to exempt the CFATS Personnel Surety Program System of Records from portions of the Privacy Act under Docket DHS-2011-0033.[19] Under Docket DHS-2011-0033, the Department received an additional comment that addressed the CFATS Personnel Surety Program ICR.[20] While the comment did support Privacy Act exemptions, the comment primarily addressed other aspects of the CFATS Personnel Surety Program not related to privacy issues. Therefore, the Department reviewed the comment and has responded to the comment under this docket as well in concert with the other comments submitted to OMB and the Department related to the CFATS Personnel Surety Program ICR.

V. The Department's Methodology in Estimating the Burden

Frequency

The Department will expect, unless otherwise noted in an authorized or approved SSP or ASP, that high-risk chemical facilities submit information, under Option 1 and/or Option 2, about affected individuals in accordance with the schedule outlined below in Table 3. Facilities may suggest alternative schedules for Option 1 or Option 2 based on their unique circumstances in their SSPs or ASPs. The schedule below would not apply to Option 3. Schedules for implementing Option 3, or alternative security measures other than Option 1 or Option 2, could vary from high-risk chemical facility to high-risk chemical facility, as described in individual facilities' SSPs or ASPs, subject to approval by the Department.

The Department will expect a high-risk chemical facility to begin submitting information about affected individuals under Option 1 and/or Option 2 under the schedule below after: (1) the high-risk chemical facility has received a letter of authorization or approval for its SSP or ASP that directs the high-risk chemical facility to comply with RBPS 12(iv); and (2) the high-risk chemical facility has been notified that the Department has implemented the CFATS Personnel Surety Program.

Table 3—Compliance Schedule for Option 1 and Option 2 Under the CFATS Personnel Surety Program

Tier 1Tier 2Tier 3Tier 4
Initial Submission Of Affected Individuals' Information60 days after the day when both conditions are true: (1) DHS issues your facility a letter of authorization or approval which directs you to comply with RBPS 12(iv), AND60 days after the day when both conditions are true: (1) DHS issues your facility a letter of authorization or approval which directs you to comply with RBPS 12(iv), AND90 days after the day when both conditions are true: (1) DHS issues your facility a letter of authorization or approval which directs you to comply with RBPS 12(iv), AND90 days after the day when both conditions are true: (1) DHS issues your facility a letter of authorization or approval which directs you to comply with RBPS 12(iv), AND
(2) DHS provides notification that it has implemented the CFATS Personnel Surety Program(2) DHS provides notification that it has implemented the CFATS Personnel Surety Program(2) DHS provides notification that it has implemented the CFATS Personnel Surety Program(2) DHS provides notification that it has implemented the CFATS Personnel Surety Program.
Submission Of A New Affected Individual's Information48 hours prior to access to restricted areas or critical assets48 hours prior to access to restricted areas or critical assets48 hours prior to access to restricted areas or critical assets48 hours prior to access to restricted areas or critical assets.
Start Printed Page 17688
Submission Of Updates And Corrections To An Affected Individual's InformationWithin 90 days of becoming aware of the need for an update or correctionWithin 90 days of becoming aware of the need for an update or correctionWithin 90 days of becoming aware of the need for an update or correctionWithin 90 days of becoming aware of the need for an update or correction.
Submission Of Notification That An Affected Individual No Longer Has AccessWithin 90 days of access being removedWithin 90 days of access being removedWithin 90 days of access being removedWithin 90 days of access being removed.

Therefore, after evaluating the choices available to the Department under Question 16 on the Paperwork Reduction Act Submission form (Standard Form-83(i)),[21] the Department believes that the description of “Other: In accordance with the compliance schedule or the facility SSP or ASP” is the most appropriate choice.

Affected Public

Most high-risk chemical facilities regulated under CFATS are private businesses, or parts of private businesses. Most people that access the restricted areas and critical assets of high-risk chemical facilities do so for business purposes. Therefore, after evaluating the choices available to the Department on Standard Form 83(i), the Department selected the description of “Business or other for-profit” as the most appropriate selection for this proposed Information Collection.

Number of Respondents

The number of respondents under this collection is the number of affected individuals that high-risk chemical facilities or their designees submit information about in compliance with RBPS 12(iv). As described more fully below, for the purpose of this notice the number of respondents is estimated by multiplying:

  • The estimated number and types of high-risk chemical facilities, and
  • The estimated number of affected individuals at each type of high-risk chemical facility.

For the purpose of this notice, the Department estimates the number of affected individuals at each type of high-risk chemical facility as the sum of:

  • The number of unescorted visitors at each type of high-risk chemical facility, and
  • The number of facility personnel and resident contractors at each type of high-risk chemical facility.

Number and Type of High-Risk Chemical Facilities

In previous PRA Federal Register notices about the CFATS Personnel Surety Program, the Department estimated the number and type of high-risk chemical facilities by using the 2007 CFATS Regulatory Assessment, which established a best estimate of 5,000 high-risk facilities for calculating cost estimates.[22] In the 2007 CFATS Regulatory Assessment, the Department recognized that each chemical facility is unique; however, since it was impractical to estimate costs for each high-risk chemical facility, the Department created four categories of facilities for each tier; three categories of facilities where loss of containment of the chemicals of interest is the primary concern and one category of facilities where theft and diversion of chemicals is the primary concern. Specifically,

  • Group A includes open facilities with 100 or more employees where loss of containment is the primary concern. These facilities are assumed to have five security entrances for the purpose of the cost analysis.
  • Group B includes open facilities with 99 or fewer employees where loss of containment is the primary concern. In addition, facilities that store anhydrous ammonia for commercial refrigeration in outdoor vessels are also considered “open” for the purpose of this analysis because it is the outdoor storage that requires protection. These facilities are assumed to have two security entrances for the purpose of the cost analysis.
  • Group C facilities are enclosed facilities where loss of containment is the primary concern (i.e., warehouses, enclosed manufacturing sites) that manufacture, process, use, store and/or distribute chemicals. The Department did not segment enclosed facilities by size because the same degree of variation between a large open facility (i.e., a 2,000-acre petrochemical complex) and a small open 3-5-acre facility does not exist. These facilities are assumed to have one security entrance for the purpose of the cost analysis.
  • Theft/Diversion facilities are typically merchant wholesalers (often called chemical distributors), chemical manufacturers, or other manufacturers that manufacture, process, use, store or distribute chemicals that could be the target of theft and diversion. The theft of chemicals could include theft of portable containers by employees, visitors or adversaries. The diversion of chemicals involves what often looks like a legitimate transaction where an adversary, impersonating a legitimate customer, purchases chemicals that could later be turned into weapons. These facilities are assumed to have one security entrance for the purposes of cost analysis.

For the purpose of this notice, the Department updated the number and type of high-risk chemical facilities estimated in the 2007 CFATS Regulatory Assessment. The updated analysis, hereafter referred to as the 2012 CFATS Personnel Surety Program Analysis, determined the high-risk chemical facility count for each of the 16 model facility categories identified in the 2007 Regulatory Assessment by analyzing high-risk chemical facilities designated with a final tier under CFATS as of August 2012. A comparison of the number of high-risk chemical facilities, estimated by the 2007 CFATS Regulatory Assessment, to the number of high-risk chemical facilities identified within the 2012 CFATS Personnel Surety Program Analysis is presented in Table 4.Start Printed Page 17689

Table 4—Number of Facilities in Each Model Facility Category

2007 CFATS regulatory assessment2012 CFATS personnel surety program analysis (raw data)
Tier 1 Group A814
Tier 1 Group B896
Tier 1 Group C2410
Tier 1 Theft693
Tier 2 Group A1668
Tier 2 Group B6416
Tier 2 Group C8015
Tier 2 Theft189400
Tier 3 Group A31522
Tier 3 Group B43833
Tier 3 Group C32966
Tier 3 Theft718935
Tier 4 Group A24272
Tier 4 Group B690190
Tier 4 Group C59913
Tier 4 Theft9701,683
Total5,0003,566

As of August 2012, 3,566 high-risk chemical facilities received a final tier determination. For the purpose of this notice, the Department estimates that CFATS will regulate approximately 4,000 high-risk chemical facilities. Therefore, the Department normalized the number of facilities in each model facility category to 4,000 facilities by multiplying the number of high-risk chemical facilities in each category by a factor of 1.22.[23] The 2012 CFATS Personnel Surety Program Analysis revised (i.e., normalized) high-risk chemical facility count is compared to the 2007 CFATS Regulatory Assessment high-risk chemical facility count, by model facility category, in Table 5.

Table 5—Number of High-Risk Chemical Facilities in Each Model Facility Category

[Normalized to 4,000 facilities]

2007 CFATS regulatory assessment2012 CFATS personnel surety program analysis (normalized)
Tier 1 Group A814
Tier 1 Group B897
Tier 1 Group C2411
Tier 1 Theft6104
Tier 2 Group A1669
Tier 2 Group B6418
Tier 2 Group C8017
Tier 2 Theft189449
Tier 3 Group A31525
Tier 3 Group B43837
Tier 3 Group C32974
Tier 3 Theft7181,049
Tier 4 Group A24281
Tier 4 Group B690213
Tier 4 Group C59915
Tier 4 Theft9701,888
Total5,0004,000

In addition to the reduction in the total number of regulated facilities, a comparison of the 2007 CFATS Regulatory Assessment and the 2012 CFATS Personnel Surety Program Analysis identifies one other key difference. In the original 2007 CFATS Regulatory Assessment, conducted prior to implementation of the CFATS Program, the Department assumed that 38 percent of all high-risk chemical facilities would be regulated due to the risk that one or more chemicals could be subject to theft or diversion for purposes of creating an explosion or producing an Start Printed Page 17690improvised explosive device. However, the 2012 CFATS Personnel Surety Program Analysis found that 87 percent of all currently regulated CFATS high-risk chemical facilities are regulated due to the risk that a chemical could be subject to theft or diversion for purposes of creating an explosion or producing an improvised explosive device. For the purpose of this notice, the Department used the number and type of high-risk chemical facilities in each facility category estimated through the normalized 2012 CFATS Personnel Surety Program Analysis because the distribution of facility type (i.e., facility count) is based upon actual historical data.

Estimated Number of Affected Individuals at Each Type of High-Risk Chemical Facility—Unescorted Visitors With Access to Restricted Areas or Critical Assets

During the 30-day comment period after the Department submitted the previous CFATS Personnel Surety Program ICR to OMB in June 2011, the American Chemistry Council (ACC) provided a detailed burden cost assessment to the Department that included assumptions on visitors.[24] Specifically, the ACC provided the Department with an estimate on the number and turnover of frequent and infrequent visitors at high-risk chemical facilities.

ACC's analysis suggests that 1,200 total visitors per year should be expected at large open manufacturing facilities that align with Group A (Tier 1 through 4) model facility categories; 300 visitors each at small open manufacturing facilities (Group B model facility categories, Tier 1 through 4) and enclosed manufacturing facilities (Group C model facility categories, Tier 1 through 4); and 50 visitors expected at theft/diversion model facilities (Tier 1 through 4). ACC estimated an annual turnover rate of 71 percent for frequent visitors (e.g., delivery personnel) and an annual turnover rate of 20 percent for infrequent visitors that only visit the facility once or twice a year (e.g., corporate auditors). Frequent and infrequent visitors were expected to compose equal volume of traffic at high-risk chemical facilities. ACC also assumed that all visitors count towards the number of affected individuals. However, high-risk chemical facilities will only be responsible for submitting information for unescorted visitors with access to restricted areas or critical assets. The Department does not expect high-risk chemical facilities to allow large numbers of visitors to have unescorted access to restricted areas or critical assets. As a general matter, the Department does not believe it to be likely that many high-risk chemical facilities will propose in their SSPs under CFATS to allow large numbers of visitors to have unescorted access to the restricted areas and critical assets of high-risk chemical facilities because then these visitors would be subject to all four types of background checks listed in RBPS 12. However, for the purpose of estimating the potential burden this information collection could impose, the Department has determined that it is appropriate to include ACC's conservative assumptions about frequent and infrequent visitors and treat them all as unescorted visitors. Table 6 provides the Department's estimated number of visitors.

Table 6—Estimate of Unescorted Visitors With Access to Restricted Areas or Critical Assets

Infrequent visitorsFrequent visitorsInfrequent visitor annual turnover (20%)Frequent visitor annual turnover (71%)Unescorted visitor annual turnoverUnescorted visitor estimate
ABC *D **E = C + DA + B + E
Tier 1 Group A6006001204265461,746
Tier 1 Group B15015030107137437
Tier 1 Group C15015030107137437
Tier 1 Theft25255182373
Tier 2 Group A6006001204265461,746
Tier 2 Group B15015030107137437
Tier 2 Group C15015030107137437
Tier 2 Theft25255182373
Tier 3 Group A6006001204265461,746
Tier 3 Group B15015030107137437
Tier 3 Group C15015030107137437
Tier 3 Theft25255182373
Tier 4 Group A6006001204265461,746
Tier 4 Group B15015030107137437
Tier 4 Group C15015030107137437
Tier 4 Theft25255182373
* C = A × 0.20, ** D = B × 0.71.

Estimated Number of Affected Individuals at Each Type of High-Risk Chemical Facilities—Facility Personnel With Access to Restricted Areas or Critical Assets

The 2007 CFATS Regulatory Assessment also provided an estimate of full time employees and resident contractors for the 16 model facility categories, as shown in Table 7.[25]

Start Printed Page 17691

Table 7—2007 CFATS Regulatory Assessment Estimate of Number of Full Time Employees and Resident Contractors

Number of full time employees per facilityResident contractors per facility (as percent of full time employees)Resident contractors per facility20% Annual turnover (full time employees and resident contractors per facility)Number of full time employees and resident contractrs per facility (including 20% annual turnover)
ABC *D **A + C + D
Tier 1 Group A39130117102610
Tier 1 Group B35207850
Tier 1 Group C152101533200
Tier 1 Theft35104847
Tier 2 Group A279308473436
Tier 2 Group B34207849
Tier 2 Group C317103270419
Tier 2 Theft35104847
Tier 3 Group A48730146127760
Tier 3 Group B472091167
Tier 3 Group C310103168409
Tier 3 Theft35104847
Tier 4 Group A283308574442
Tier 4 Group B139202833200
Tier 4 Group C201102044265
Tier 4 Theft35104847
Totaln/an/an/an/an/a
* C = A × B, ** D = (A + C) × 0.20.

In the June 2011 ICR, the Department updated the estimate of employees and resident contractors in the 2007 CFATS Regulatory Assessment in response to a survey submitted by the American Fuel and Petrochemical Manufacturers [26] during the 30 day comment period associated with the previous CFATS Personnel Surety Program ICR.[27] Specifically, the Department increased the estimated number of full time employees/contractors in Group A facilities by 5, as shown in Table 8.

Table 8—Revised 2007 CFATS Regulatory Assessment Estimate of Number of Full Time Employees and Resident Contractors

Number of full time employees per facilityResident contractors per facility (as percent of full time employees)Resident contractors per facility20% Annual turnover (full time employees and resident contractors per facility)Number of full time employees and resident contractors per facility (including 20% annual turnover)
ABC *D **A + C + D
Tier 1 Group A1,955305875083,050
Tier 1 Group B35207850
Tier 1 Group C152101533201
Tier 1 Theft35104846
Tier 2 Group A1,395304193632,176
Tier 2 Group B34207849
Tier 2 Group C317103270418
Tier 2 Theft35104846
Tier 3 Group A2,435307316333,799
Tier 3 Group B472091168
Tier 3 Group C310103168409
Tier 3 Theft35104846
Tier 4 Group A1,415304253682,207
Tier 4 Group B139202833200
Start Printed Page 17692
Tier 4 Group C201102044265
Tier 4 Theft35104846
Totaln/an/an/an/an/a
* C = A × B, ** D = (A + C) × 0.20.

In addition to submitting comments on the Department's June 2011 estimated burden about unescorted visitors, ACC also suggested that 80 percent of employees/resident contractors have access to restricted areas and/or critical assets at Group A, B and C facilities and only 15 percent of employees/resident contractors have access to theft/diversion facilities. To provide an additional estimate of the number of respondents the Department applied this ACC assumption to the revised 2012 CFATS Personnel Surety Program Analysis. The resulting estimate, referred to as the “Adjusted June 2011 ICR Estimate of the Number of Full Time Employees and Resident Contractors” is shown in Table 9.

Table 9—Adjusted June 2011 ICR Estimate of the Number of Full Time Employees and Resident Contractors

Number of full time employees per facilityResident contractors per facility (as percent of full time employees)Resident contractors per facility20% annual turnover (full time employees and resident contractors per facility)Number of full time employees and resident contractors per facility (including 20% annual turnover)ACC's estimate of full time employees and contractors with access to restricted areas or critical assets (percent)Number of full time employees and resident contractors per facility with access to restricted areas or critical assets (including 20% annual turnover)
ABC*D**A + C + DE(A + C + D) × E
Tier 1 Group A1,955305875083,050802,440
Tier 1 Group B352078508040
Tier 1 Group C15210153320180161
Tier 1 Theft35104846157
Tier 2 Group A1,395304193632,176801,741
Tier 2 Group B342078498039
Tier 2 Group C31710327041880335
Tier 2 Theft35104846157
Tier 3 Group A2,435307316333,799803,039
Tier 3 Group B4720911688054
Tier 3 Group C31010316840980327
Tier 3 Theft35104846157
Tier 4 Group A1,415304253682,207801,766
Tier 4 Group B13920283320080160
Tier 4 Group C20110204426580212
Tier 4 Theft35104846157
Totaln/an/an/an/an/an/an/a
*C = A × B, **D = (A + C) × 0.20.

For the purpose of this notice, the Department also evaluated whether or not the 2007 CFATS Regulatory Assessment should continue to be the basis for the estimate of full time employees and resident contractors. To provide an additional estimate of the number of respondents, the 2012 CFATS Personnel Surety Program Analysis analyzed actual information submitted by high-risk chemical facilities in response to Top-Screen [28] Question Q:1.45-400.[29] Based upon the Start Printed Page 17693submitted information, the Department was able to estimate full time employees and resident contractors by each model facility category, as shown in Table 10.

Table 10—2012 CFATS Personnel Surety Program Analysis' Estimate of the Number of Full Time Employees and Resident Contractors

Response to top screen question Q:1.45-400Resident contractors per facility (as percent of full time employees)Resident contractors per facility20% Annual turnover (full time employees and resident contractors per facility)Number of full time employees and resident contractors per facility (including 20% annual turnover)
ABA + B
Tier 1 Group A599120719
Tier 1 Group B36743
Tier 1 Group C30060360
Tier 1 Theft653131783
Tier 2 Group A22244267
Tier 2 Group B30636
Tier 2 Group C48998587
Tier 2 Theft416N/A83499
Tier 3 Group A594Top Screen Question Q1:1.45*119713
Tier 3 Group B33400 incorporates estimate of739
Tier 3 Group C188resident contractors38225
Tier 3 Theft23347279
Tier 4 Group A737147884
Tier 4 Group B17320
Tier 4 Group C17585211
Tier 4 Theft19539234
Totaln/an/an/a
* In question Top Screen Question Q:1.45-400, facilities provide both full time employees and resident contractors.

Table 11 compares the estimates of full time employees and resident contractors in the: (1) 2007 CFATS Regulatory Assessment; (2) ICR submitted in June of 2011; (3) adjusted June 2011 ICR Estimate of the Number of Full Time Employees and Resident Contractors; and (4) 2012 CFATS Personnel Surety Program Analysis.

Table 11—Average Number of Full Time Employees and Contractors per Facility by Model Facility Category

2007 CFATS regulatory assessmentEstimate used in June 2011 ICRJune 2011 ICR (adjusted with ACC's assumption on facility personnel with access to restricted areas or critical assets)2012 CFATS personnel surety program analysis
Tier 1 Group A6103,0502,440719
Tier 1 Group B50504043
Tier 1 Group C200201161360
Tier 1 Theft47467783
Tier 2 Group A4362,1761,741267
Tier 2 Group B49493936
Tier 2 Group C419418335587
Tier 2 Theft47467499
Tier 3 Group A7603,7993,039713
Tier 3 Group B67685439
Tier 3 Group C409409327225
Tier 3 Theft47467279
Tier 4 Group A4422,2071,766884
Tier 4 Group B20020016020
Tier 4 Group C265265212211
Start Printed Page 17694
Tier 4 Theft47467234

When evaluating the reasonable alternatives (see next section) to estimate the total number of respondents, the Department did not consider alternatives that used an assumption about the full time employees and resident contractors estimates from the 2007 CFATS Regulatory Assessment or the estimate in the June 2011 ICR.

Rather, when evaluating the reasonable alternatives to estimate the total number of respondents (see the next section of this document for this evaluation), the Department opted to use the best available industry estimates, as well as actual historical data collected directly from high-risk chemical facilities, to estimate the full time employees and resident contractors. Namely:

(1) The adjusted June 2011 ICR estimate of full time employees and resident contractors, and

(2) The estimate of full time employees and resident contractors in the 2012 CFATS Personnel Surety Program Analysis.

Summary of Alternatives To Estimate the Number of Respondents

As mentioned above, for the purpose of this notice the number of respondents is estimated by multiplying:

  • The number and type of high-risk chemical facilities, and
  • The number of affected individuals at each type of high-risk chemical facility.

For the purpose of this notice, the Department estimates the number of affected individuals at each type of high-risk chemical facility as the sum of:

  • The number of unescorted visitors at each type of high-risk chemical facility, and
  • The number of facility personnel and resident contractors at each type of high-risk chemical facility.

In light of the data submitted by commenters and the Department's own analysis, three alternatives for the total number of respondents were considered by the Department.

First, the total number of respondents is based on:

a. the number and type of high-risk chemical facilities assumed in the 2012 CFATS Personnel Surety Program Analysis;

b. the ACC's estimates about unescorted visitors; and

c. the adjusted June 2011 ICR estimate of the number of full time employees and resident contractors.

This alternative results in an estimate of an initial 972,584 respondents with an annual turnover of 290,459 respondents. See Table 12.

Table 12—Estimate of Number of Respondents—Alternative 1

Number of full time employees and resident contractors CFATS personnel surety program ICR withdrawn in July of 2012 (including 20% annual turnover) (Table 8)Estimate of full time employees and contractors with access to restricted areas or critical assets (percent)Full time employees and resident contractors CFATS personnel surety program ICR withdrawn in July of 2012 with estimates of percentage of employees/resident contractors with restricted area and/or critical asset access (Table 9)ACC Unescorted Visitor Estimate (including 71% turnover for frequent visitors, 20% turnover for infrequent vistors) (Table 6)Number of facilities (Table 5)Number of initial respondents (include 20% annual turnover)CFATS personnel surety program ICR withdrawn in July of 2011 20% annual turnover (Table 9)ACC unescorted visitors annual turnover (Table 6)Annual respondent turnover
ABABC(A + B) × CDE(D + E) × C
Tier 1 Group A3,050802,4401,746418,7815085464,730
Tier 1 Group B50804043773,2098137975
Tier 1 Group C20180161437116,697331371,906
Tier 1 Theft46157731048,3128233,177
Tier 2 Group A2,176801,7411,746931,2913635468,154
Tier 2 Group B498039437188,53781372,596
Tier 2 Group C418803354371712,977701373,470
Tier 2 Theft461577344935,75182313,662
Tier 3 Group A3,799803,0391,74625118,07963354629,097
Tier 3 Group B6880544373718,162111375,470
Start Printed Page 17695
Tier 3 Group C409803274377456,5506813715,154
Tier 3 Theft46157731,04983,56882331,936
Tier 4 Group A2,207801,7661,74681283,63236854673,809
Tier 4 Group B20080160437213127,1563313736,201
Tier 4 Group C26580212437159,460441372,635
Tier 4 Theft46157731,888150,42282357,484
Totaln/an/an/an/a4,000972,584n/an/a290,459

Second, the total number of respondents is based on:

a. The number and type of high-risk chemical facilities assumed in the 2012 CFATS Personnel Surety Program Analysis;

b. The ACC's estimates about unescorted visitors;

c. The number of full time employees and resident contractors estimated by the 2012 CFATS Personnel Surety Program Analysis; and

d. ACC's estimate of the percentage of resident employees and contractors with access to restricted areas or critical assets.

This alternative results in an estimate of an initial 896,286 respondents with an annual turnover of 393,519 respondents. See Table 13.

Table 13—Estimate of Number of Respondents—Alternative 2

2012 CFATS personnel surety program analysis average number of full time employees and contractors (including 20% turnover) (Table 10)Estimate of full time employees and contractors with access to restricted areas or critical assets (percent)Average number of full time employees and contractors (including 20% turnover)ACC unescorted visitor estimate (including 71% turnover for frequent visitors, 20% turnover for infrequent visitors) (Table 6)Number of facilities (Table 5)Number of Initial respondents (includes 20% annual turnover)2012 CFATS personnel surety program analysis 20% anual turnover (Table 10)ACC unescorted visitors annual turnover (Table 6)Annual respondent turnover
AB(A × B) = CDE(C + D) × EFG(F + G) × E
Tier 1 Group A719805751,746410,4131205462,987
Tier 1 Group B43803443773,1697137967
Tier 1 Group C36080288437118,124601372,203
Tier 1 Theft783151187310419,8471312315,993
Tier 2 Group A267802131,746917,583445465,298
Tier 2 Group B368029437188,35561372,558
Tier 2 Group C587804694371715,243981373,942
Tier 2 Theft49915757344966,200832347,494
Tier 3 Group A713805711,7462557,16911954616,408
Tier 3 Group B3980314373717,32171375,295
Tier 3 Group C225801804377445,6603813712,886
Tier 3 Theft2791542731,049120,269472372,714
Tier 4 Group A884807071,74681198,14814754656,000
Tier 4 Group B20801643721396,461313729,806
Tier 4 Group C21180168437158,821351372,502
Tier 4 Theft2341535731,888203,5053923116,465
Totaln/an/an/an/a4,000896,286n/an/a393,519
Start Printed Page 17696

Third, the total number of respondents is based on:

a. The number and type of high-risk chemical facilities assumed in the 2012 CFATS Personnel Surety Program Analysis;

b. The ACC's estimates about unescorted visitors;

c. The number of full time employees and resident contractors estimated by the 2012 CFATS Personnel Surety Program Analysis; and

d. Does not include ACC's estimate of the percentage of resident employees and contractors with access to restricted areas or critical assets.

This alternative results in an estimate of an initial 1,806,996 respondents with an annual turnover of 393,519 respondents. See Table 14.

Table 14—Estimate of Number of Respondents—Alternative 3

2012 CFATS personnel surety program analysis average number of full time employees and contractors (including 20% turnover) (Table 10)Estimate of full time employees and contractors with access to restricted areas or critical assets (percent)Average number of full time employees and contractors (including 20% turnover)ACC unescorted visitors estimate (including 71% turnover for frequent visitors, 20% turnover for infrequent visitors) (Table 6)Number of facilities (Table 5)Number of initial respondents (includes 20% annual turnover)2012 CFATS personnel surety program analysis 20% annual turnover (Table 10)ACC unescorted visitors annual turnover (Table 6)Annual respondent turnover
AB(A × B) = CDE(C + D) × EFG(F + G) × E
Tier 1 Group A7191007191,746411,0581205462,987
Tier 1 Group B431004343773,2277137967
Tier 1 Group C360100360437118,930601372,203
Tier 1 Theft7831007837310489,3061312315,993
Tier 2 Group A2671002671,746918,061445465,298
Tier 2 Group B3610036437188,48561372,558
Tier 2 Group C5871005874371717,218981373,942
Tier 2 Theft49910049973449256,361832347,494
Tier 3 Group A7131007131,7462560,68911954616,408
Tier 3 Group B39100394373717,61171375,295
Tier 3 Group C2251002254377448,9973813712,886
Tier 3 Theft279100279731,049369,426472372,714
Tier 4 Group A8841008841,74681212,43214754656,000
Tier 4 Group B201002043721397,319313729,806
Tier 4 Group C211100211437159,435351372,502
Tier 4 Theft234100234731,888578,4403923116,465
Totaln/an/an/an/a4,0001,806,996n/an/a393,519

These three alternatives are summarized in Table 15.

Table 15—Comparison of Number of Respondents for Alternatives 1, 2 and 3

Initial/yearYear 2Year 3Number of respondents (annual average)
Alternative 1972,584290,459290,459517,834
Alternative 2896,286393,519393,519561,108
Alternative 31,806,996393,519393,519864,678

For the purpose of this notice the Department selected alternative 3. Alternative 3 reasonably reflects the type and number of facilities regulated by CFATS, is based upon the actual number of full time employees and contractors as reported by high-risk chemical facilities, and explicitly estimates unescorted visitors as a separate population from facility employees and resident contractors.

Limitation of Respondents to Tier 1 and Tier 2 Facilities

The Department is proposing to limit this information collection, and to limit initial CFATS Personnel Surety Program implementation, to only Tier 1 and Tier 2 high-risk chemical facilities. A limited implementation would enable the Department to implement the CFATS Personnel Surety Program for those facilities presenting the highest risk, while not imposing the burden on all CFATS regulated facilities. Assuming this information collection request is approved, a subsequent ICR would be published and submitted to OMB for approval to incorporate any lessons learned and potential improvements to the CFATS Personnel Surety Program prior to collecting information from Tier 3 and Tier 4 high-risk chemical facilities. Table 16 provides the estimate of the number of respondents using alternative 3 for Tier 1 and 2 high-risk chemical facilities.Start Printed Page 17697

Table 16—Estimate of Number of Tier 1 and 2 Respondents

2012 CFATS personnel surety program analysis average number of full time employees and contractors (including 20% turnover) (table 10)Estimate of full time employees and contractors with access to restricted areas or critical assets (percent)Average number of full time employees and contractors (including 20% turnover)ACC unescorted visitors estimate (including 71% turnover for frequent visitors, 20% turnover for infrequent visttors) (table 6)Number of facilities (table 5)Number of initial respondents (includes 20% annual turnover)2012 CFATS personnel surety program analysis 20% annual turnover (table 10)ACC unescorted visitors annual turnover (table 6)Annual respondent turnover
AB(A × B) = CDE(C + D) × EFG(F + G) × E
Tier 1 Group A7191007191,746411,0581205462,987
Tier 1 Group B431004343773,2277137967
Tier 1 Group C360100360437118,930601372,203
Tier 1 Theft7831007837310489,3061312315,993
Tier 2 Group A2671002671,746918,061445465,298
Tier 2 Group B3610036437188,48561372,558
Tier 2 Group C5871005874371717,218981373,942
Tier 2 Theft49910049973449256,361832347,494
Totaln/an/an/an/an/a412,647n/an/a81,443

Therefore, the annual average number of respondents is equal to 191,845, as shown in Table 17. The Department's rounded estimate is 192,000 respondents.

Table 17—Estimate of Annual Number of Respondents for Tier 1 and 2 Facilities

Total respondents year 1Total respondents year 2Total respondents year 3Number of respondents (annual average)
ABC(A + B + C)/3
Tier 1 Group A11,0582,9872,9875,677
Tier 1 Group B3,2279679671,720
Tier 1 Group C8,9302,2032,2034,446
Tier 1 Theft89,30615,99315,99340,431
Tier 2 Group A18,0615,2985,2989,553
Tier 2 Group B8,4852,5582,5584,534
Tier 2 Group C17,2183,9423,9428,367
Tier 2 Theft256,36147,49447,494117,116
Total412,64781,44381,443191,845

Estimated Time per Respondent

For the purpose of estimating the time per respondent, the Department considered making an assumption about the percentage of affected individuals under the three options outlined in the summary section of this notice (e.g., information about one-third of affected individuals would be submitted for direct vetting against the Federal Government's consolidated and integrated terrorist watchlist, information about one-third of affected individuals would be submitted to verify enrollment in other DHS programs, and information about one-third of affected individuals would not be submitted because they possess TWICs that high-risk chemical facilities would electronically verify through the use of TWIC readers). However, the Department concluded that such an assumption was unwarranted because: (1) The assumption would be without any factual basis; (2) the burden to submit information about an affected individual for direct vetting is approximately the same as the burden to submit information in order to verify enrollment (i.e., similar number of required data elements); and (3) the most conservative burden estimate would assume that information is submitted for all affected individuals (i.e., no facilities will choose to electronically verify the TWIC in the possession of an affected individual).

To avoid making unjustified assumptions, and to avoid underestimating the time per respondent, the Department decided to estimate the average burden per respondent by assuming each and every respondent's information will be manually submitted, rather than uploaded via a bulk file, to the Department for vetting for terrorist ties.

Accordingly, the Department's “estimated time per respondent” is the average burden for each respondent/submission, as shown in Table 18. The estimate includes (1) 30 minutes to type and submit each and every affected individual's required information during initial submission, (2) 10 minutes to type and submit each update/correction for five percent of the affected individuals, (3) 10 minutes to update information on 20 percent of the affected individuals expected to no Start Printed Page 17698longer have access to a high-risk chemical facility restricted area(s) or critical asset(s) each year. Therefore, for the purpose of this notice, the estimated time per respondent is 0.54 hours.

Table 18—Estimate of Burden Time per Response

Percent of populationDuration
Initial Submission (100%)1.000.50
Updates/Corrections (5%)0.050.17
Removal—Turnover (20%)0.200.17
Estimated Time per respondent0.5425

Total Burden Hours

Annual burden hours are the sum of: (1) The number of respondents multiplied by the estimated time per respondent; (2) the number of respondents for which a high-risk chemical facility will need to update/correct information (five percent of the number of respondents) multiplied by the number of hours necessary to type and submit each update/correction (i.e., 0.17 hours or 10 minutes); and (3) the number of respondents that are expected to no longer have access to a high-risk chemical facility's restricted area(s) or critical asset(s) (i.e., 20 percent of the number of respondents) multiplied by the number of hours necessary to notify the Department (i.e., 0.17 hours or 10 minutes). Therefore, the average annual burden is 104,076 hours, as shown in Table 19. The Department's rounded estimate is 104,100 hours.

Table 19—Estimate of Annual Burden Hours for Tier 1 & Tier 2 Facilities

Annual respondentsDurationBurden (hours)
AB(A × B)
Initial Submission (100%)191,8450.5095,922
Updates/Corrections (5%)9,5920.171,631
Removal—Turnover (20%)38,3690.176,523
Total Burden Hours104,076

Total Burden Cost (Capital/Startup)

The Department expects no capital/startup cost for facilities that choose to implement Option 1 or Option 2.

Although there are no costs associated with facilities providing information to the Department under Option 3, the Department has nonetheless estimated the potential capital costs incurred by facilities that choose to implement Option 3 under the CFATS Personnel Surety Program to ensure an appropriate accounting of the costs potentially incurred by this Information Collection. The capital cost of Option 3 can be estimated by multiplying (1) the number of facilities that are likely to implement Option 3 by (2) the cost to acquire, install, and maintain TWIC readers at the facilities.

Estimating Capital Costs for Option 3—Number and Type of High-Risk Chemical Facilities That May Choose To Use Option 3

High-risk chemical facilities and their designees have wide latitude in how they may implement Option 3, if they choose to do so. High-risk chemical facilities could propose, in their SSPs or ASPs, to share the costs of TWIC readers and any associated infrastructure at central locations, or high-risk chemical facilities could propose to purchase and install TWIC readers for their own use. The Department will assess the adequacy of such proposals on a facility-by-facility basis, in the course of evaluating each facility's SSP or ASP.

For the purpose of this notice, the Department estimates that the number of high-risk chemical facilities that are likely to implement Option 3 is the number of high-risk chemical facilities likely to have affected individuals who possess TWICs accessing their restricted areas or critical assets. Through the 2012 CFATS Personnel Surety Program Analysis, the Department determined that there are currently 32 high-risk chemical facilities that have claimed a partial Maritime Transportation Security Act (MTSA) exemption [30] and have received a final tier determination under CFATS. The Department then normalized the facility count by multiplying the number of facilities that claimed a partial exemption in each category by a factor of 1.22 (as it did in estimating the total number of facilities in Table 5 above), as shown in Table 20.

Table 20—Estimate of Number of High-Risk Chemical Facilities That May Choose To Use TWIC Readers

2012 CFATS personnel surety program analysis2012 CFATS personnel surety program analysis (normalized)
AA × 1.22
Tier 1 Group A00
Tier 1 Group B00
Tier 1 Group C00
Tier 1 Theft00
Start Printed Page 17699
Tier 2 Group A00
Tier 2 Group B00
Tier 2 Group C11
Tier 2 Theft33
Tier 3 Group A33
Tier 3 Group B00
Tier 3 Group C22
Tier 3 Theft1315
Tier 4 Group A11
Tier 4 Group B22
Tier 4 Group C00
Tier 4 Theft78
Total3235

Estimating Capital Costs for Option 3—TWIC Readers Costs

For the purpose of this notice, the Department has based the potential per facility capital costs related to Option 3 on the TWIC Reader Requirements notice of proposed rulemaking (NPRM), published elsewhere in this issue of the Federal Register.[31] In the TWIC Reader Requirements NPRM, the Department estimated the initial phase-in costs annual recurring costs, and annual recurring costs that considers equipment replacement for container terminals, large passenger vessels/terminals, petroleum facilities, break-bulk terminals and small passenger vessels/towboats. For the purpose of this notice, the Department has based the capital costs related to Option 3 on the costs incurred by the petroleum facilities (i.e., bulk liquid facilities) in the TWIC Reader Requirements NPRM. Specifically, the Department estimated the capital costs in this notice to be the average of the initial phase-in cost plus three years of the annual reoccurring cost without equipment replacement. NPPD opted to use the annual reoccurring cost without equipment replacement to align with the TWIC Reader Requirements NPRM assumption that equipment replacement cost occurs every five years. This notice estimates average annual costs for a three year period. Thus, for the purposes of this notice the estimated capital costs per facility is $99,953.33, [($256,267 + ($14,531 × 3))/3].

The Department then calculated the capital costs for the 35 high-risk chemical facilities, as shown in Table 21.

Table 21—Capital Cost Burden Estimate for High-Risk Chemical Facilities That May Choose To Use TWIC Readers

Number of facilitiesAverage TWIC reader implementation cost per facilityCapital cost of TWIC reader implementation
AB(A × B)
Tier 1 Group A0$99,953$0
Tier 1 Group B099,9530
Tier 1 Group C099,9530
Tier 1 Theft099,9530
Tier 2 Group A099,9530
Tier 2 Group B099,9530
Tier 2 Group C199,95399,953
Tier 2 Theft399,953299,860
Tier 3 Group A399,953299,860
Tier 3 Group B099,9530
Tier 3 Group C299,953199,907
Tier 3 Theft1599,9531,499,300
Tier 4 Group A199,95399,953
Tier 4 Group B299,953199,907
Tier 4 Group C099,9530
Tier 4 Theft899,953799,627
Total35n/a3,498,367
Start Printed Page 17700

The capital cost for the 35 high-risk chemical facilities totals $3,498,367.67; however, the Department intends to limit this information collection to only Tier 1 and Tier 2 facilities. Therefore, for the purpose of this notice, the Department estimates the capital cost for the implementation of TWIC readers is $399,813, as shown in Table 22. The Department's rounded estimate is $399,800.

Table 22—Capital Cost Burden Estimate for Tier 1 & 2 High-Risk Chemical Facilities That May Choose To Use TWIC Readers

Number of facilitiesAverage TWIC reader implementation cost per facilityCapital cost of TWIC reader implementation
AB(A × B)
Tier 1 Group A0$99,953$0
Tier 1 Group B099,9530
Tier 1 Group C099,9530
Tier 1 Theft099,9530
Tier 2 Group A099,9530
Tier 2 Group B099,9530
Tier 2 Group C199,95399,953
Tier 2 Theft399,953299,860
Total4n/a399,813

Consideration of Other Capital Costs

The burden estimates outlined in this notice are limited in scope to those activities listed in 5 CFR 1320.3(b)(1). Specifically, 5 CFR 1320.3(b)(1) and 5 CFR 1320.8 require the Department to estimate the total time, effort, or financial resources expended by persons to generate, maintain, retain, disclose or provide information to or for a Federal agency. Therefore, many costs (e.g., physical modification of the facility layout) a facility may choose to incur to develop or implement its SSP or ASP should not be accounted for when estimating the capital costs associated with this information collection.

The Department did consider estimating certain facility capital costs such as: (1) Capital costs for computer, telecommunications equipment, software, and storage to manage the data collection, submissions, and tracking; (2) capital and ongoing costs for designing, deploying and operating information technology (IT) systems necessary to maintain the data collection, submissions, and tracking; (3) cost of training facility personnel to maintain the data collection, submissions, and tracking; and (4) site security officer time to manage the data collection, submissions, and tracking. However, the Department has concluded that these costs should be excluded in accordance with 5 CFR 1320.3(b)(2), which directs federal agencies to not count the costs associated with the time, effort, and financial resources incurred in the normal course of their activities (e.g., in compiling and maintaining business records) if the reporting, recordkeeping, or disclosure activities are usual and customary.

The Department believes that the time, effort, and financial resources are usual and customary costs because these are costs that high-risk chemical facilities would incur to conduct background checks for identity, criminal history, and legal authorization to work under 6 CFR 27.230(a)(12)(i-iii), and also under various other Federal, state, or local laws or regulations.

Recordkeeping Costs

High-risk chemical facilities are not required to create, keep, or retain records under RBPS 12(iv). If a high-risk chemical facility elects, for its own business purposes, to create, keep, or retain records that identify and manage the submission of information about affected individuals, those records are not government records.

The recordkeeping costs, if any, to create, keep, or retain records pertaining to background checks as part of a high-risk chemical facility's SSP or ASP, are properly estimated in the recordkeeping estimates associated with the SSP Instrument under Information Collection 1670-0007.[32]

The Department considered estimating the potential recordkeeping burden associated with RBPS 12(iv), but subsequently concluded that no potential recordkeeping should be estimated in this notice in accordance with 5 CFR 1320.3(b)(2), which directs federal agencies to not count the costs associated with the time, effort, and financial resources incurred in the normal course of their activities (e.g., in compiling and maintaining business records) if the reporting, recordkeeping, or disclosure activities are usual and customary. The Department believes that the types of recordkeeping associated with RBPS 12(iv) are usual and customary costs that high-risk chemical facilities would incur to conduct background checks for identity, criminal history, and legal authorization to work as required by RBPS (12)(i)-(iii) and also by various other Federal, state, or local laws or regulations.

Total Burden Cost (Operating/Maintaining)

The annual burden cost is equal to the sum of the: (1) Annual burden hours multiplied by the hourly wage rate for appropriate facility personnel; (2) the capital costs ($399,800); and (3) recordkeeping costs ($0).

Comments associated with the previous ICR suggested an appropriate wage rate between $20 and $40 per hour; the Department picked the midpoint of $30 to estimate the hourly direct wage rate, which corresponds to a fully loaded wage rate of $42.

Therefore, the annual burden not including capital costs and recordkeeping costs is $4,371,181 as shown in Table 23. The rounded estimate is $4,371,000.Start Printed Page 17701

Table 23—Estimate of Annual Burden Cost for Tier 1 & Tier 2 Facilities

Burden (hours)Wage rateCost
AB(A × B)
Initial Submission95,92242$4,028,738
Updates/Corrections1,6314268,489
Removal—Turnover6,52342273,954
Total Burden Cost (operating/maintaining)104,076424,371,181

Therefore, the total annual burden cost is $4,770,994, after the inclusion of the $399,813 capital cost burden. The Department's rounded estimate is $4,771,000.

VI. Solicitation of Comments

OMB is particularly interested in comments which:

(1) Evaluate whether the proposed collection of information is necessary for the proper performance of the functions of the agency, including whether the information will have practical utility;

(2) Evaluate the accuracy of the agency's estimate of the burden of the proposed collection of information, including the validity of the methodology and assumptions used;

(3) Enhance the quality, utility, and clarity of the information to be collected; and

(4) Minimize the burden of the collection of information on those who are to respond, including through the use of appropriate automated, electronic, mechanical, or other technological collection techniques or other forms of information technology, e.g., permitting electronic submissions of responses.

VII. Analysis

Agency: Department of Homeland Security, National Protection and Programs Directorate, Office of Infrastructure Protection, Infrastructure Security Compliance Division.

Title: Chemical Facility Anti-Terrorism Standards (CFATS) Personnel Surety Program.

OMB Number: 1670—NEW.

Frequency: Other: In accordance with the compliance schedule or the facility Site Security Plan or Alternative Security Plan.

Affected Public: Business or other for-profit.

Number of Respondents: 192,000 affected individuals.

Estimated Time per Respondent: 0.54 hours (32.4 minutes).

Total Burden Hours: 104,100 annual burden hours.

Total Burden Cost (capital/startup): $399,800.

Total Recordkeeping Burden: $0.

Total Burden Cost (operating/maintaining): $4,771,000.

Start Signature

Dated: March 13, 2013.

Scott Libby,

Deputy Chief Information Officer, National Protection and Programs Directorate, Department of Homeland Security.

End Signature End Preamble

Footnotes

1.  A 60-day public notice for comments was published in the Federal Register on June 10, 2009. See 74 FR 27555. Comments submitted by the public may be found on http://www.regulations.gov under Docket ID DHS-2009-0026. The Department's responses were included in a Paperwork Reduction Act (PRA) 30-day Federal Register notice. The 30-day public notice for comments was published in the Federal Register on April 13, 2010. See 75 FR 18850. Comments submitted by the public may be found on http://www.regulations.gov under Docket ID DHS-2009-0026. The Department's responses were published in a separate Federal Register notice on June 14, 2011. See 76 FR 34720. Concurrently with publication of the June 14, 2011 Federal Register notice, the Department submitted an Information Collection Request about the CFATS Personnel Surety Program to OMB. See http://www.reginfo.gov/​public/​do/​PRAViewICR?​ref_​nbr=​201105-1670-002. In July 2012, the Department withdrew that ICR.

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2.  For more information about CVI see 6 CFR 27.400 and the CVI Procedural Manual at http://www.dhs.gov/​xlibrary/​assets/​chemsec_​cvi_​proceduresmanual.pdf.

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3.  For more information about SSI see 49 CFR part 1520 and the SSI Program Web page at http://www.tsa.gov/​ssi.

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4.  For more information about PCII see 6 CFR part 29 and the PCII Program Web page at http://ww.dhs.gov/​pcii.

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5.  For more information about the TSDB, see DOJ/FBI—019 Terrorist Screening Records System, 72 FR 47073 (August 22, 2007).

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6.  U.S. Customs and Border Protection (CBP) has introduced SENTRI and Global Entry as Trusted Traveler Programs since the publication of CFATS in April 2007. The Department, therefore, intends to enable high-risk chemical facilities (or their designees) to submit information about affected individuals' SENTRI and Global Entry enrollments to DHS under Option 2, even though SENTRI and Global Entry were not listed along with the other Trusted Traveler Programs in the CFATS IFR preamble. See 72 FR 17709 (April 9, 2007).

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7.  Each of the DHS programs conducts recurrent vetting, which is a Department best practice. Recurrent vetting compares an affected individual's information against new and/or updated TSDB records as those new and/or updated records become available.

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9.  Elsewhere in this issue of the Federal Register, the U.S. Coast Guard has published a notice of proposed rulemaking (NPRM) titled “TWIC Reader Requirements.” The procedures for using TWIC readers that are discussed in that NPRM would not apply to high-risk chemical facilities regulated under CFATS. Likewise, the ways in which high-risk chemical facilities could leverage TWICs as part of the CFATS Personnel Surety Program do not apply to maritime facilities or vessels regulated by the U.S. Coast Guard.

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10.  See footnote 1, supra.

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11.  CSAT user registration and the assignment of user roles within CSAT are covered under a different Information Collection (i.e., 1670-0007), which can be found at http://www.reginfo.gov/​public/​do/​PRAViewICR?​ref_​nbr=​201001-1670-007#.

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12.  Examples of the international privacy instruments which the United States has endorsed are: (1) Organization for Economic Cooperation and Development (OECD) Guidelines on the Protection of Privacy and Trans-border Flows of Personal Data (1980), and (2) Asia Pacific Economic Cooperation (APEC) Privacy Framework (2004).

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13.  The Safe Harbor Framework, which applies to commercial information, was developed by the U.S. Department of Commerce in consultation with the European Commission in order to provide a streamlined means for U.S. organizations to comply with the European Union Data Protection Directive 95/46/EC. More information on the Safe Harbor Framework can be found at http://export.gov/​safeharbor.

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14.  For more information about Redress Numbers, please go to http://www.dhs.gov/​one-stop-travelers-redress-process#1.

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16.  More information about access, correction, and redress requests under the Freedom of Information Act and the Privacy Act can be found in Section 7.0 of the Privacy Impact Assessment for the CFATS Personnel Surety Program, dated May 4, 2011, and available at http://www.dhs.gov/​privacy-documents-national-protection-and-programs-directorate-nppd.

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17.  For more information. please see the CFATS Personnel Surety Program Privacy Impact Assessment, dated May 4, 2011 at http://www.dhs.gov/​xlibrary/​assets/​privacy/​privacy-pia-nppd-cfats-ps.pdf.

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18.  The docket for the CFATS Personnel Surety Program System of Records Notice may be found at http://www.regulations.gov/​#!docketDetail;​D=​DHS-2011-0032.

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19.  The docket for the notice of proposed rulemaking to exempt portions of the CFATS Personnel Surety Program System or Records from one or more provisions of the Privacy Act may be found at http://www.regulations.gov/​#!docketDetail;​D=​DHS-2011-0033.

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22.  See CFATS Regulatory Assessment Section 5.1 (April 1, 2007), http://www.regulations.gov/​#!documentDetail;​D=​DHS-2006-0073-0116.

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23.  The factor of 1.22 was used because (4,000 facilities/3566 facilities) = 1.22.

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24.  This cost estimate has been posted to Docket DHS-2012-0061, which may be accessed through the Federal eRulemaking Portal at www.regulations.gov.

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25.  See CFATS Regulatory Assessment Section 6.3.7, Table 15 (April 1, 2007), http://www.regulations.gov/​#!documentDetail;​D=​DHS-2006-0073-0116.

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26.  The American Fuel and Petrochemical Manufacturers is the name of the former National Petrochemical & Refiners Association, whose comment may be found at http://www.regulations.gov/​#!documentDetail;​D=​DHS-2009-0026-0029.

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27.  See Response To Comments Received During 30 Day Comment Period: New Information Collection Request 1670-NEW, 76 FR 34720, 34725 (June 14, 2011).

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28.  Top-Screen is defined at 6 CFR 27.105.

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29.  Q:1.45-400 refers to the specific question reference number in the online Top-Screen application which is not available to the general public. However, the exact text of the question is available on page 20 of the CSAT Top-Screen Survey Application User Guide v1.99 in the row entitled, “Number of Full Time Employees.” See http://www.dhs.gov/​xlibrary/​assets/​chemsec_​csattopscreenusersmanual.pdf.

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30.  Facilities that are partially regulated under both MTSA and CFATS have the opportunity to identify themselves in the CSAT Top-Screen. The text of the question is available on page 22 of the CSAT Top-Screen Survey Application User Guide v1.99. See http://www.dhs.gov/​xlibrary/​assets/​chemsec_​csattopscreenusersmanual.pdf.

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31.  See TWIC Reader Requirements NPRM Table 4.

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[FR Doc. 2013-06184 Filed 3-21-13; 8:45 am]

BILLING CODE 9110-9P-P