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    • Coalition Comments on Georgia’s HB 201

      This is the third summary of comments regarding wording of Georgia’s HB 201 which restricts anchoring in Georgia’s coastal waters. See also GAMBA Statement and Save Georgia’s Anchorages.

      These comments pertaining to the Notice of Rule Making for Coastal Marshland Protection and Boating
      Regulations are respectfully submitted on behalf of a coalition of boating associations formed several
      years ago to protect cruisers’ anchoring rights. Our coalition includes America’s Great Loop Cruisers’
      Association (AGLCA), Defever Cruisers Group, Marine Trawler Owners’ Association (MTOA) and Seven
      Seas Cruising Association (SSCA). Collectively, our coalition represents approximately 12,000 active
      boaters.
      We strongly believe that derelict and abandoned vessels, and vessels left unattended at anchor, are
      major problems and that a solution to rid our waterways of these vessels is needed. They present
      hazards to navigation, cause damage to property, and clog anchorages that would otherwise be useable
      for responsible, active cruisers. However, the proposal to require a permit for short-term anchoring in
      Georgia is unduly burdensome and creates a hindrance for boaters who want or need to “drop the
      hook” in Georgia’s pristine anchorages.
      While some of our members question the constitutionality of the law, we recognize DNR’s responsibility
      is to implement the law as it stands. However, we believe the existing law and proposed rules are
      fraught with potential problems on implementation. Below are questions and concerns brought forth by
      our members related only to implementation, and the challenges inherent in the rules as proposed:
      • Transient boaters entering Georgia may not be informed about the requirement to obtain a
      permit and may inadvertently be in violation
      • Weather, mechanical issues, and other factors beyond the boater’s control may prevent them
      from planning enough in advance to obtain a permit (i.e., they may be forced to anchor when
      and where they did not intend to)
      • With some mobile service providers, service may not be available everywhere in the estuarine
      areas of Georgia, leaving a boater unable to obtain a permit
      • Local boaters object to needing a permit to spend a weekend at anchor in their “backyard”.
      • Will DNR have the man-power to enforce the permit regulations?
      • How will boaters know where they can anchor under the exclusionary approach that all
      waterways are closed to anchoring except those that DNR designates as anchoring areas?
      To address the permit issues, we suggest that a permit not be needed when anchoring in one location
      for less than 60 days. Accordingly, we propose the language in 391-4-5-.23 (1) and (2) be amended as
      follows:
      (1) Anchoring or Docking Vessels at Night.
      No person shall anchor or dock a vessel at night in the estuarine area of the state unless it is at an
      eligible facility, as defined in O.C.G.A. 52-7-8.4, or in an anchorage area established by the Department
      as outlined in paragraph (3), below. No boat may be left unattended at anchor for more than seven days.
      If anchored for more than 60 days in one location, an anchorage permit as outlined in paragraph (2),
      below, is required. This rule does not apply to the following:
      A vessel docked at a private recreational dock or a non-eligible facility so long as such vessel is not
      utilized as a live-aboard vessel, as defined in O.C.G.A. 52-7-8.4;
      (2) Anchorage Permits.
      (a) Vessels may not be anchored for more than 180 days in one location. Persons anchoring a vessel
      for more than 60 days in one place in the estuarine area and within an anchorage area established by
      the Department, must purchase and be in possession of an anchorage permit, except as provided
      herein.
      (b) Permit Fee.
      1. A monthly anchorage permit is valid for 30 days and is available at a cost of $40.00.
      2. Senior citizens (65 years of age or older), active duty military and veterans may purchase a
      monthly anchorage permit at a fifty percent discount.
      (c) Anchorage permits shall be available at all sites that sell hunting and fishing licenses, by phone and
      online.
      (d) Anchorage permits may be printed or held electronically, but must be onboard the vessel at all
      times and available for inspection upon request. When a vessel is unoccupied at night, any monthly
      anchorage permit must be prominently displayed and visible from the water.
      (e) Any person applying for an anchorage permit for a live-aboard vessel must certify to no discharge of
      sewage, treated or untreated, into the estuarine area of the state.
      (f) Exemptions to this rule may be granted by the Department for unique circumstances. Conditional
      permission must be requested in writing to the Commissioner.
      This solution eases the burden on, and the concerns of, the cruising community.
      We recognize that, one reason to support the need for the permits is to give additional authority for law
      enforcement to impound derelict, abandoned, and long-term stored vessels, as they are unlikely to have
      a permit. Removing the obligation to obtain a permit for short-term stays does not interfere with the
      goal of giving law enforcement additional leverage to deal with this very real issue.
      With a permit not required for short-term anchoring, should DNR deem it necessary, our coalition would
      support fees for monthly anchoring permits that are higher than those proposed.
      Regarding the approved anchorage areas, we proposed a more inclusive approach where all areas are
      open to anchoring with a few exceptions. We suggest that the language in 391-4-5-.23 (3) be amended
      to specifically state that anchorage areas include all waterways, with restrictions only where anchoring
      can create a hazard or cause environmental damage. The State of Florida has a statute in place that
      establishes setbacks from marine infrastructure in which anchoring is not permitted. We propose
      modeling the Georgia regulations on Florida’s statute, as follows:
      (3) Public Notice. Anchorage areas shall be all of Georgia coastal waters except shellfish beds,
      navigation channels, and within 150 feet of marine infrastructure including marinas, boat ramps,
      boatyards, or other vessel launching or loading facilities.
      (b) This subsection does not apply to:
      1. A vessel owned or operated by a governmental entity.
      2. A construction or dredging vessel on an active job site.
      3. A commercial fishing vessel actively engaged in commercial fishing.
      4. A vessel actively engaged in recreational fishing if the persons onboard are actively tending
      hook and line fishing gear or nets.
      5. A vessel suffering a mechanical failure that requires immediate securing of the vessel to
      avoid grounding, drifting into area of greater hazard, and/or to allow the operator to attempt repairs or
      wait for a tow.
      6. Imminent or existing weather conditions in the vicinity of the vessel pose a risk of harm to the
      vessel or the persons aboard.
      Our coalition thanks you for the opportunity to share our comments as part of the proceeding.
      Respectfully,
      Kimberly Russo
      On behalf of
      America’s Great Loop Cruisers’ Association
      Defever Cruisers Group
      Marine Trawler Owners’ Association
      Seven Seas Cruising Association

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