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    • Roger Long Responds to Georgia’s HB 201

      Roger Long is an experienced cruiser who, along with several others, has submitted comments to the Georgia Department of Natural Resources in response to HB 201. Cruisers Net invites you to make your own response to the addresses shown in Georgia’s HB 201 before Monday, June 17.

      Comments to the Georgia Department of Natural Resources on Rule Making for Coastal Marshland Protection and Boating Regulations.

      As the former Harbormaster of Cape Elizabeth, Maine I was charged with supervising anchoring and mooring in that town. Since retirement, I have cruised over 40,000 miles between Halifax, Nova Scotia and the Florida Everglades with a dozen transits of the ICW and extensive exploration of Georgia’s waters. I have thus had the opportunity to view the anchoring question from both sides and followed the decades long controversy and legal actions over anchoring in Florida. I have been asked to advise other commenters on the proposed Georgia regulations.

      I strongly endorse the position, widely expressed in social media, and in the drafts of comments to your agency which I have been permitted to review, that the proposed rules as published
      would be damaging to the overall interests of Georgia. Rather than comment on specifics of the proposed rules, which I think will be adequately covered by many others, I would like to offer a background analysis of anchoring issues to help the DNR reach a clarity that was lacking in the Florida processes as well as in discussions since the issue arose in your state.

      Anchoring is a protected activity under well established common law as part of navigation. Restrictions must show an over riding public interest such as safety, not impeding other’s navigational rights, and (increasingly) environmental concerns. The long standing and court upheld status of anchoring has been often cited in relation to issues of vessels being abandoned or stored long term in navigable waters. The point that has seldom surfaced is that the most essential element of a vessel engaged in navigation is a crew. If there are no people aboard, the vessel can not be considered to be navigating and the state has greater latitude in regulating the craft’s use of a public resource.

      A state could probably prevail in court on challenges to a rule that required that vessels at anchor always have a crew aboard capable of handling and moving the vessel if the anchor drags. I am only pointing out that the state has this option and a not advocating it. The fact that the state could do this does not mean that it should. There would be a huge backlash from boaters and it would be a very damaging to businesses along Georgia’s waterway. There are places in the state where people anchor to go ashore, spend money in local businesses, and hike in state parks and the National Sea Shore. These activities benefit the state economically and increase public support for protecting the unique and special environment of Georgia. Many cruisers already avoid the state by taking the outside route due to its navigational challenges. Any general restrictions on anchoring, paperwork (even if free), or even just the perception that interaction with law enforcement may be needed to justify a routine navigational operation, will increase this avoidance with resulting economic harm.

      Even though vessels anchored so that the entire crew may go ashore are no longer navigating in the strictest sense of the word, it would be in the interest of Georgia to recognize the intermediate status of an “Attended Vessel”. The crews of vessels anchored in places like St. Marys may have left their vessel unoccupied but they are still generally in a position to monitor the weather and return within a short time period to deal with anchors dragging or other problems. If the crew of the vessel is far away, unable to return in a fairly short time period, and unable to be contacted, the vessel is neither navigating nor attended and the state has much greater latitude in regulating it. I would endorse a regulation that requires vessels anchored and unoccupied to post a phone number on a portlight or window where the owner may be contacted. Even if law enforcement is not involved, the ability of a nearby vessel to contact the owner could prevent or mitigate damage to the vessel, other vessels, shore structures, and the environment in the event of the anchor(s) dragging.

      As both a former harbormaster and life long cruiser, I do not believe that unoccupied or unattended vessels should be left at anchor for more than very short periods. Anchors are most prone to breaking out and dragging when the current reverses. This is especially true in Georgia with its high tides and fast currents. Monitoring and returning to a vessel is more difficult in the dark and any “attending” crew ashore are likely to be asleep. It would be legally supportable to require that any vessel anchored overnight be occupied by a crew capable of handing the anchors and moving the vessel. In order to avoid economic damage to the state by denying cruisers the ability to dine or visit ashore while anchored, and the resultant avoidance of the state by many, I would propose that “overnight” be defined as between the hours of midnight and dawn. Establishing that unoccupied vessels may not be anchored between those hours would have little impact on either transient or local cruisers and would give the state an immediate handle for dealing with improperly stored and abandoned boats that are at risk of becoming derelicts.

      Vessels anchored but neither occupied nor attended should be in a marina, tied to a dock, or on a mooring. Moorings are rare in Georgia and most of the discussions I have seen in both states have lacked clarity on the important distinctions between anchors and moorings. It is much more than just a difference in the kind of gear used to secure the vessel to the bottom.

      Anchors are designed and intended to be deployed and retrieved by a vessel and carried aboard as an essential part of navigation. As such, compromises need to be made with their weight and holding power so that they may be handled. Moorings are heavier, semi-permanent installations that must normally be installed by a larger vessel dedicated to the purpose. Moorings are significantly less prone to dragging, generally immune to the effects of current shifts, and capable of securing the vessel against more severe weather events.

      I have seen comments and opinions in both states that waterfront property owners will want to “anchor” their boats in front of their houses and that anchoring restrictions would prevent that. However, most property owners will actually want to have a mooring. It is much more convenient to pick up or drop the rope on a mooring buoy than to haul up and deploy an anchor. The mooring will also reserve their spot so they will be sure of it being available when they return. The vessel will be much more secure if the owner leaves for an extended period.

      Anchors further differ from moorings in that a vessel takes its gear with it when it leaves whereas a mooring continues to occupy and restrict the use of a portion of a public resource when the vessel is absent. Since a mooring can not be considered a part of a vessel’s navigational equipment, a vessel on one is not navigating. Mooring are closer in the legal and regulatory scheme to docks than they are to anchors. Moorings appropriate a portion of a public resource for private use (or commercial in the case of a marina) so can and should be regulated by the state. There are recognized standards for mooring gear specifying the size of anchors, chain, and other components relative to vessel size.

      A vessel which simply drops an anchor, intended for navigational use and to be carried aboard the craft, and is then left unattended for long periods is not navigating. It would be more accurate to think of it as being moored but with inadequate securing tackle that presents a risk to the vessel, other vessels, shore side structures, and the environment. One approach for the state would be a requirement that any vessel left unoccupied in the water for more than some short time period, say seven days, be either secured to a dock or on a permitted mooring. Insuring that the mooring gear met the recognized standard selected by the state would be part of the permitting process. The regulation could reasonably exempt boats below a certain size, perhaps 18 feet . This approach would increase the safety of all vessels, shore structures, and the environment. It would clearly distinguish boats that are in use from boats that are being stored or abandoned without infringing on the navigational rights of legitimate cruisers. The mooring permit could require vessel owners to agree to removal of their vessel and mooring without notice if the permit was allowed to elapse.

      A more difficult issue is the occupied vessel that remains anchored in the same spot for long periods. Since the vessel is occupied, it can claim that it is navigating so long as it has a means of propulsion. At some point however, it becomes clear that the vessel is not engaged in navigation but is residing and being used as a habitation. I believe it would be reasonable, and legally defensible, for the state to require that any vessel remaining in the same location over 60 days obtain a mooring permit. I would define “location” as anchoring within the same anchor circle (radius of seven times the water depth around the original anchor location) and require an absence of seven days with relocation at least a mile away to restart the 60 day period. The exact numbers can be explored.

      Finally, I commend Georgia for attempting to clean up and protect the waters which comprise one of the most beautiful areas on the whole east coast. However, I must point out that the huge brouhaha that has erupted over this was the result of failure at both the legislative and rule draft writing level to fully research the issues and understand the constituency effected by them. I urge your agency to issue a second draft of proposed rules followed by an additional comment period and to obtain further advice on the issues I raise above. I was part of a very productive and successful rule making process to create new Coast Guard regulations in which an industry/USCG task force was set up to draft the rules. We educated the Coast Guard, the Coast Guard educated us, and the result was a very workable set of regulations. I would highly recommend such an approach to the Department of Natural Resources.

      Roger Long

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    • Fishermen’s Village July Calendar of Events/Entertainment, Charlotte Harbor, Punta Gorda, FL


      Fisherman's Village Marina and Resort, Punta Gorda, FL

      There is always plenty to do around Charlotte Harbor, especially during the Summer. Whether you are moored in Punta Gorda’s mooring field or berthed at Fishermen’s Village Marina, A CRUISERS NET SPONSOR, you will enjoy your visit to beautiful Charlotte Harbor, where Punta Gorda, also A CRUISERS NET SPONSOR, lies on Western Florida’s Charlotte Harbor/Peace River.

      Click here for Fishermen’s Village July Calendar of Events/Entertainment

       

      Kathy Burnham
      Marketing/Events Manager
      Fishermen’s Village
      mkting@fishville.com

      1200 W. Retta Esplanade #57A
      Punta Gorda, Florida  33950                                                                                                                                        

      P  941 575-3007
      M 941 258-1327
      F   941 637-1054
        

      Click Here To View the Cruisers Net Western Florida Marina Directory Listing For Fishermen’s Village

      Click Here To Open A Chart View Window, Zoomed To the Location of Fishermen’s Village

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    • New Florida Law Regarding Derelict Vessels

      A new Florida law could make it easier for local governments and law enforcement to remove derelict boats from waters in their jurisdictions.

      Sick of seeing derelict boats littering local waterways? So was the governor from Englewood Sun

      5 Facebook Likes, 5 Facebook Reactions

      Comments from Cruisers (1)

      1. Bob Mackey -  June 12, 2019 - 9:48 pm

        Give em away! Duh. Thousands of people looking for project boats. Buying boats no better than those lining the ICW here in Bervard County, FL, and making them seaworthy again. Give em a year, then inspect the progress. OR….spend millions turning them int trash. Use your brains FMP

        Reply to Bob
    • Article on Dredging at Problem Stretch, AICW Statute Mile 460, Isle of Palms, SC


      Here’s an interesting article regarding dredging at the Breach Inlet/AICW intersection which has been a Problem Stretch for years due to shoaling and channel shifting.

      US Army Corps of Engineers works to maintain the Atlantic Intracoastal Waterway
      Moultrie News

      Click Here To View the Cruisers’ Net’s “AICW Problem Stretches” Listing For the AICW North of Ben Sawyer Bridge to Isle of Palms Bridge

      Click Here To Open A Chart View Window, Zoomed To This AICW Problem Stretch

       

       

      AREA SPONSORING MARINA

      Click Here To View the South Carolina Cruisers’ Net Marina Directory Listing For Isle of Palms Marina

      Click Here To Open A Chart View Window, Zoomed To the Location of Isle of Palms Marina

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    • An Invitation from Royal Marsh Harbor Yacht Club, Abaco, Northern Bahamas

      Royal Marsh Harbour Yacht Club

      Now that many of you are in southern waters and maybe headed for the Bahamas, don’t miss this opportunity to link with the Royal Marsh Harbour Yacht Club, A CRUISERS NET SPONSOR!

      Are you planning to cruise to the Bahamas?  Come spend some time in the Abacos with the Royal March Harbour Yacht Club.  It’s an easy 60 mile crossing to Little Bahama Bank and then hundreds of miles of cruising amid protected islands and harbours with lots to explore.

      Here are just some of the benefits of joining Royal Marsh Harbour Yacht Club. 

      Affordable initiation fee and annual dues

      Discounts at marinas throughout the Bahamas

      Discounts at restaurants and stores, particularly in the Marsh Harbour area

      Friendly boating community with fun activities

      The best deal in the Bahamas!

      For more information and to become a member, go to www.rmhyc.com.

      1 Facebook Likes, 1 Facebook Reactions

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    • Good Words for Ortega Landing Marina, off the St Johns River, Jacksonville, FL


      Stop in and give a big Welcome to one of our newest Sponsors! Only a mile or so upstream from downtown Jacksonville, Ortega Landing Marina, now A CRUISERS NET SPONSOR, is the first facility on your starboard as you enter the Ortega River from the St. Johns. Our thanks to Dave and Nan Fuller for these kind words as posted on AGLCA’s Forum.

      We kept our boat for about 18 months at Ortega Landing. We loved both the marina with very nearby conveniences, and Jacksonville itself. It is just past downtown Jacksonville off the St. John’s river about 20 miles or so from the coast on the Ortega River. Tides here are about 18 inches and brackish water. Ortega Landing has floating concrete docks, great amenities, pump outs in slips, and lots of things you want just 3 to 4 blocks away including a Publix, West Marine, several restaurants, and other conveniences. There are several very good repair facilities within a half mile on the river. The only thing missing is covered slips and those are available about 1/4 mile away. Hard to beat this marina and pricing is competitive for this part of Florida.
      Dave & Nan Ellen Fuller
      WACI 3

      Click Here To View the Cruisers Net Eastern Florida Marina Directory Listing For Ortega Landing Marina

      Click Here To Open A Chart View Window, Zoomed To the Location of Ortega Landing Marina

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    • Good Words for Marineland Marina, Marineland, FL, AICW Statute Mile 796


      These kind words for CRUISERS NET SPONSOR, Marineland Marina, were posted by Tim Gaffney on AGLCA’s Forum. With many recent facility upgrades and consistently good words from cruisers, Marineland Marina is located in Marineland, FL. See FOCUS ON Marineland Marina for more on this fine facility.

      During our adventures we have spent 3-5 months all told at Marineland, 15 miles South of St. Augustine. Marina looks brand new, Dolphins swim inside the cove, 2 free tickets to see the Marineland scientific research center across the street.
      If memory serves me cost is $1.25 a foot for a monthly stay. I think 30 amp for $35 a month. [See link below for all rates]
      Eric really watches over the boats!
      Did I mention the beach is right across the street?
      Tim Gaffney
      The Home Office

       

      Click Here To View the Eastern Florida Cruisers Net Marina Directory Listing For Marineland Marina

      Click Here To Open A Chart View Window, Zoomed To the Location of Marineland Marina

      1 Facebook Likes, 1 Facebook Reactions

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    • National Fishing and Boating Week, June 1-9, 2019

      National Fishing and Boating Week is a national celebration highlighting the importance of recreational boating and Fishing. Federal and state land managers host lots of events and offer free fishing days around the country to commemorate National Fishing and Boating Week June 1 -9, 2019.

      National Fishing and Boating Week

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    • NOAA Open House, July 26, Silver Spring, MD

      If you are in the Washington area and have land transportation, this would be a fascinating tour of the NOAA Cartography facilities in Silver Spring.

      Save the Date: NOAA Nautical Cartography Open House 2019

      NOAA’s Office of Coast Survey is pleased to announce that registration for NOAA’s 2019 Nautical Cartography Open house is now open. 
       
       
      NOAA Office of Coast Survey is the nation’s nautical chartmaker. Originally formed by President Thomas Jefferson in 1807, Coast Survey updates charts, surveys the coastal seafloor, responds to maritime emergencies, and searches for underwater obstructions that pose a danger to navigation.   
       
      # # #
       
       
      NOAA Office of Coast Survey, 1315 East-West Highway, SSMC3 #6216, Silver Spring, MD 20906

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