Legislature(2011 - 2012)BARNES 124

02/15/2012 01:00 PM House RESOURCES


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* first hearing in first committee of referral
+ teleconferenced
= bill was previously heard/scheduled
*+ HB 280 OIL & GAS TAX CREDITS: KOTEZBUE/SELAWIK TELECONFERENCED
Heard & Held
+= HB 229 BIG GAME COMMERCIAL SERVICES BOARD TELECONFERENCED
Heard & Held
+ Bills Previously Heard/Scheduled TELECONFERENCED
           HB 229-BIG GAME COMMERCIAL SERVICES BOARD                                                                        
                                                                                                                                
1:10:59 PM                                                                                                                    
                                                                                                                                
CO-CHAIR FEIGE announced  that the first order  of business would                                                               
be HOUSE BILL NO. 229,  "An Act relating to activities, including                                                               
violations and penalties,  under the supervision of  the Big Game                                                               
Commercial Services Board."                                                                                                     
                                                                                                                                
1:11:56 PM                                                                                                                    
                                                                                                                                
CO-CHAIR  SEATON moved  to adopt  CSHB 229,  Version 27-LS0764\I,                                                               
Bullard,  2/13/12,  as the  working  document.   There  being  no                                                               
objection, Version I was before the committee.                                                                                  
                                                                                                                                
1:12:19 PM                                                                                                                    
                                                                                                                                
MICHAEL PASCHALL, Staff, Representative  Eric Feige, Alaska State                                                               
Legislature, on  behalf of  Representative Feige,  prime sponsor,                                                               
informed the  committee that the changes  [encompassed in Version                                                               
I] address  the questions by the  committee last year as  well as                                                               
questions that developed over time.   The hope, he related, is to                                                               
provide legislation that  addresses the concerns of  the Big Game                                                               
Commercial  Services Board  while allowing  it to  operate in  an                                                               
efficient and  effective manner  in terms  of regulating  the big                                                               
game guiding  industry.  He  then pointed out that  the committee                                                               
packet includes  a sectional  analysis of Version  I.   Section 1                                                               
provides  additional   authority  to  the  Big   Game  Commercial                                                               
Services  Board  to  promulgate  regulations  to  administer  the                                                               
regulation of big  game guides.  Existing  statute specifies that                                                               
the board  is limited  to regulations  that are  "required" under                                                               
statute.    The  Big  Game Commercial  Services  Board  has  been                                                               
advised  by  the  Department  of Law  that  it  can't  promulgate                                                               
regulations  that aren't  required  in statute.   Therefore,  the                                                               
language in  Section 1 simply  provides the board with  a broader                                                               
authority to  adopt regulations.   Section 2 creates  a provision                                                               
in  statute for  a  retired master  guide-outfitter license  that                                                               
recognizes those  who have earned  such a license, for  which one                                                               
pays a  one-time fee.   Such a  license allows the  individual to                                                               
retain  the title  but the  license  holder wouldn't  be able  to                                                               
function  as a  guide or  provide guide  services.   Mr. Paschall                                                               
likened this provision  to that of a physician being  able to say                                                               
that he/she  is a medical  physician although he/she  has retired                                                               
and no longer practices.   Section 3 has clarifying language that                                                               
specifies a guide-outfitter may provide  the services of a class-                                                               
A  assistant guide  under employment  with  a contracting  guide-                                                               
outfitter.  Therefore, it  essentially allows [a guide-outfitter]                                                               
to work at a lower level  for another guide-outfitter.  Section 5                                                               
merely inserts  a provision in  statute that allows the  Big Game                                                               
Commercial  Services  Board  to  suspend or  revoke  licenses  of                                                               
guides  engaged  in  conduct involving  unprofessionalism,  moral                                                               
turpitude, or  gross immorality.   He then  turned to  Section 6,                                                               
which addresses  penalties in existing  statute.  The  concern of                                                               
the  board  was  that  if  someone made  a  procedural  error  in                                                               
processing  paperwork and  violated  a game  law  in the  process                                                               
current statute  requires the judge  to suspend the  license when                                                               
the  individual is  convicted of  such a  violation.   Therefore,                                                               
Section 6  changes the language  such that for  such [procedural]                                                               
violations, the  court could choose  to suspend a  license rather                                                               
than having to  order a suspension.  Section  7 merely authorizes                                                               
the  department to  establish a  fee for  the new  retired master                                                               
guide-outfitter  license.    The  final section,  Section  8,  is                                                               
conforming  language to  specify  that the  holder  of a  retired                                                               
master guide-outfitter license may not guide.                                                                                   
                                                                                                                                
1:16:34 PM                                                                                                                    
                                                                                                                                
CO-CHAIR SEATON pointed out that on  page 3, line 4, the language                                                               
"the court may order" is used whereas  on page 3, lines 8 and 12,                                                               
the language "the court shall order"  is used.  He inquired as to                                                               
the difference between the provisions.                                                                                          
                                                                                                                                
MR. PASCHALL  answered that it's  based upon the severity  of the                                                               
offense.    For example,  wasting  game  is obviously  a  serious                                                               
offense and  in that case  "the court shall" suspend  the license                                                               
whereas for  other more  minor violations  the court  is afforded                                                               
discretion with  the use  of the  language "the  court may".   In                                                               
further response to Co-Chair Seaton,  Mr. Paschall confirmed that                                                               
the offenses referred to on page  3, lines 4-7 are minor offenses                                                               
while those  referred to on  page 3,  lines 8-15 are  more severe                                                               
offenses.   For  example, guiding  without a  license or  guiding                                                               
while  a license  is suspended  or revoked  results in  the court                                                               
having  to  order  a  further relocation  or  suspension  of  the                                                               
license versus providing the court an option.                                                                                   
                                                                                                                                
1:18:36 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE  HERRON inquired  as  to the  need  for a  retired                                                               
status master guide license.                                                                                                    
                                                                                                                                
MR. PASCHALL clarified that it's  nothing more than a recognition                                                               
for the  years, which he  recalled is  25 years, someone  has put                                                               
into this profession.                                                                                                           
                                                                                                                                
1:19:33 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE HERRON,  referring to Section 5  that provides the                                                               
opportunity  for  the  board  to  suspend  or  revoke  a  guide's                                                               
license, asked if the practice  of hunting a drainage until there                                                               
are no more animals is considered to be unprofessional.                                                                         
                                                                                                                                
MR. PASCHALL  said he isn't  qualified to speak to  the practices                                                               
in the  field since he isn't  a professional guide.   However, in                                                               
discussions with  the board he  has understood the concern  to be                                                               
regarding if  someone engaged in  an activity that  is considered                                                               
unprofessional,  such  as  shooting  a  guide  who  infringes  on                                                               
another guides hunting area.                                                                                                    
                                                                                                                                
REPRESENTATIVE HERRON asked  if the intent is to  prevent what is                                                               
occurring in many drainages in  western Alaska where the resource                                                               
is cleaned  out and then  the guides  move to the  next drainage,                                                               
without conscience.                                                                                                             
                                                                                                                                
CO-CHAIR  FEIGE  related  his   perception  that  since  existing                                                               
statute  doesn't  have  a  catch-all  for  things  that  are  not                                                               
specifically  defined,  by specifying  "unprofessionalism,  moral                                                               
turpitude,  or  gross  immorality"  the board  is  provided  some                                                               
authority  to address  actions that  aren't  in the  spirit of  a                                                               
professional guide.                                                                                                             
                                                                                                                                
1:23:45 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE  MUNOZ asked  if the  assistant class-A  guide has                                                               
the same requirements as a full guide.                                                                                          
                                                                                                                                
MR.  PASCHALL   informed  the  committee  that   there  are  four                                                               
different  levels  of guides:    an  assistant guide,  a  class-A                                                               
assistant  guide,  a registered  guide  outfitter,  and a  master                                                               
registered guide  outfitter.   All of the  levels of  guides have                                                               
different requirements  [that allow progression to  higher levels                                                               
of guides].   For example,  a registered guide outfitter  is only                                                               
licensed  in certain  areas and  has  to be  a class-A  assistant                                                               
guide for  a period  of time.   At each level  there is  a higher                                                               
level  of  experience.   In  further  response to  Representative                                                               
Munoz,  Mr.   Paschall  clarified   that  the   registered  guide                                                               
outfitter is the only individual  allowed to contract a hunt, and                                                               
the registered  guide outfitter can  utilize a class-A  guide for                                                               
certain  provisions  of the  hunt,  such  as  running a  camp  or                                                               
physically  taking  the hunter  to  track  the animal.    Statute                                                               
specifies which  type of  guide can  do what  and HB  229 doesn't                                                               
really change that.                                                                                                             
                                                                                                                                
1:25:35 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE  MUNOZ  inquired  as  to  the  difference  in  the                                                               
licensing  requirement  between a  full  guide  and an  assistant                                                               
guide.                                                                                                                          
                                                                                                                                
MR. PASCHALL, referring to AS  08.54, informed the committee that                                                               
an assistant guide  must be 18 years of age,  legally hunted [big                                                               
game]  in the  state  for two  years, possess  a  first aid  card                                                               
[issued by  the] Red  Cross [or  similar organization],  obtain a                                                               
written  recommendation  from  a registered  guide-outfitter  who                                                               
intends  to  employ  them  as  an  assistant  guide,  or  provide                                                               
evidence  that  they  have passed  an  assistant  guide  training                                                               
course approved by the board.   A class-A assistant guide must be                                                               
21 years  of age, requires a  fee, must have first  aid training,                                                               
has been  employed during  at least three  calendar years  as any                                                               
class of  licensed guide  in the game  management unit  for which                                                               
the license  is sought, at  least 10 years hunting  experience in                                                               
the  state, evidence  that the  individual physically  resides in                                                               
the  game management  unit in  which the  assistant is  employed,                                                               
evidence that  the individual has  had at least 15  years hunting                                                               
experience in  the game management  unit in which  the individual                                                               
is  to  be   employed,  and  a  written   recommendation  from  a                                                               
registered guide-outfitter  who intends to employ  the individual                                                               
as a class-A  assistant guide, or physically resides  in the game                                                               
management unit,  has 10  years of experience,  and has  passed a                                                               
class-A assistant guide training course approved by the board.                                                                  
                                                                                                                                
1:28:04 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE  MUNOZ, referring  to  page 2,  line 24,  surmised                                                               
then  that  a  class-A  assistant   guide  would  be  allowed  to                                                               
supervise  and   conduct  a  hunt.     She  then  asked   if  the                                                               
aforementioned is allowed now.                                                                                                  
                                                                                                                                
MR. PASCHALL stated that it's  left a little up to interpretation                                                               
as to  what is  expanding or constricting.   The  current statute                                                               
requires that the contracting guide  be present in the field with                                                               
the  client   one  time  during   the  hunt,  but  there   is  no                                                               
specification beyond  that.  Therefore, if  the contracting guide                                                               
meets  the client  at the  lodge, the  requirement has  been met.                                                               
Adding  the  language  "supervising" and  "conducting  the  hunt"                                                       
allows the  board to define the  rules under this new  statute in                                                               
that a  [registered guide-outfitter]  who contracts for  a guided                                                               
hunt  has to  be  in the  field  supervising, participating,  and                                                               
conducting the contracted hunt unless  the hunt is conducted by a                                                               
class-A assistant guide.                                                                                                        
                                                                                                                                
1:30:15 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE P.  WILSON commented that  Representative Herron's                                                               
statements regarding  guides cleaning out drainage  areas is very                                                               
important to  the residents of  those areas.  She  expressed hope                                                               
that there is  some manner in which such immoral  activity can be                                                               
addressed.                                                                                                                      
                                                                                                                                
1:31:58 PM                                                                                                                    
                                                                                                                                
JOE WANT,  Registered Guide,  related that  the problem  with the                                                               
existing situation  is that even  with the four  different levels                                                               
of guiding  licenses an assistant guide  can be placed in  a camp                                                               
to  guide several  hunters  for sheep  or brown  bear.   Such  an                                                               
assistant guide is an individual who  [at a minimum] has lived in                                                               
the state  for two years,  killed one  animal, and hunted  for 30                                                               
days per  year.  Mr. Want  emphasized that there is  no mandatory                                                               
supervision  of these  young individuals  entering the  industry.                                                               
Mr. Want  interpreted the term "unless"  [on page 2, line  25] to                                                               
mean that he, a registered guide  [for units 6-26], could work as                                                               
a  class-A assistant  guide  in Southeast  Alaska  and the  guide                                                               
would  no  longer have  to  fulfill  the supervising  obligations                                                               
mentioned in  the first part of  the legislation.    Although Mr.                                                               
Want has  been involved  in the guiding  industry since  1968, he                                                               
said  that he  has no  business running  a hunt  in unit  4.   He                                                               
opined  that HB  229 is  going to  exacerbate the  problem rather                                                               
than  solve  it.    He  then said  that  it's  laudable  for  the                                                               
legislation to  specify that "the  board may  adopt regulations",                                                               
but  he suggested  that  it  should say  "the  board shall  adopt                                                               
regulations".  Mr.  Want emphasized that creating  a situation in                                                               
which  an 18  year  old,  [as a  class-A  assistant guide]  takes                                                               
clients   on   a  hunt   without   any   direct  supervision   is                                                               
inappropriate and a misrepresentation to the public.                                                                            
                                                                                                                                
1:38:04 PM                                                                                                                    
                                                                                                                                
CO-CHAIR   SEATON    inquired   as    to   the    definition   of                                                               
"unprofessionalism"  that  would  be  applied  by  the  Big  Game                                                               
Commercial  Services Board  to suspend  a license.   He  asked if                                                               
there  is  some commonly  accepted  criteria  within the  guiding                                                               
profession that would be considered "unprofessionalism."                                                                        
                                                                                                                                
MR. WANT stated that one of  the main problems in the industry is                                                               
the lack of a definition  for unprofessionalism, which has led to                                                               
problems  with  supervising.   One  of  the  main issues  in  the                                                               
guiding industry, he opined, is  placing individuals in the field                                                               
without   the   necessary   training   or   supervision.      The                                                               
aforementioned is  exemplified in the licensing  process in which                                                               
the test percentages  of individuals who have  [guided for] three                                                               
years continue  to remain [the  same as when they  initially took                                                               
the test].   Mr. Want stated that Co-Chair  Seaton had identified                                                               
the  issue, the  lack  of a  standardized  or generally  accepted                                                               
definition of professionalism or other practices.                                                                               
                                                                                                                                
REPRESENTATIVE  HERRON  remarked  that  defining  professionalism                                                               
continues  to be  an issue  for him  because there  are unethical                                                               
practices that impact the resources in Alaska.                                                                                  
                                                                                                                                
1:40:19 PM                                                                                                                    
                                                                                                                                
WADE WILLIS,  Resident Hunter, said  he has great  concerns about                                                               
Version  I.   The  proposed regulatory  amendments  in Version  I                                                               
attempt to  liberalize the  restrictions on  the number  of guide                                                               
use areas in which a  registered guide or class-A assistant guide                                                               
can  legally   operate.    The  aforementioned   is  significant,                                                               
particularly during a time when  the Big Game Commercial Services                                                               
Board  is saying  the industry  should downsize  while requesting                                                               
the  legislature liberalize  the areas  in which  the guides  can                                                               
work.   As many know,  the aforementioned is what  the Department                                                               
of Natural  Resources (DNR) guide concession  proposal program is                                                               
all about.   Mr. Willis pointed out that the  amended language in                                                               
Sections 3  and 4 allows  a registered  guide to operate  in more                                                               
than  three guide  use  areas, which  is  the current  regulatory                                                               
restriction.     A   [registered]   guide   can  accomplish   the                                                               
aforementioned by  partnering with  other registered  guides that                                                               
have game unit areas in which  the guide isn't legally allowed to                                                               
operate.  By  partnering with a registered  guide, a [registered]                                                               
guide can guide  in up to 12 game unit  areas, depending upon how                                                               
many partners he has.   Astonishingly, the [registered] guide who                                                               
partners with  other registered guides outside  his/her game unit                                                               
area  is  circumventing the  standards  the  Big Game  Commercial                                                               
Services  Board  has  in  those   areas,  which  includes  having                                                               
previous experience guiding in the  location and knowledge of the                                                               
area.  Essentially,  this revokes the intent  of the professional                                                               
licensing standards of the board  and may provide the client with                                                               
a  substandard guide,  in comparison  to  the current  regulatory                                                               
language  that  requires  any  guide  to  demonstrate  a  minimum                                                               
knowledge of  the area.   However, most alarming is  the proposed                                                               
amendment  in   Section  4  that  would   allow  the  contracting                                                               
registered  guide-outfitter  to never  step  foot  in the  field,                                                               
never see  the client, or even  be in the state.   Therefore, Mr.                                                               
Willis questioned  how the  aforementioned improves  the industry                                                               
standards or  benefits the client.   This proposal,  he stressed,                                                               
seems to  be nothing more than  an attempt to expand  the guiding                                                               
industry  at  the  expense  of   not  only  the  highest  quality                                                               
experience for  the client as  well as the wildlife  resources of                                                               
Alaska.   Mr. Willis  requested that  the committee  consider the                                                               
underlying  intent of  HB 229,  which he  believes is  to deceive                                                               
this  committee for  the  benefit of  a  few contracting  guides.                                                               
This legislation is neither effective  nor efficient at improving                                                               
the  industry, he  opined.     Mr. Willis  further requested  the                                                               
committee  review  the  administrative  code  changes  that  have                                                               
occurred in  the past year versus  what is being proposed  on the                                                               
Big  Game  Commercial  Services  website.   He  opined  that  the                                                               
committee  is being  asked to  liberalize the  statutes and  [the                                                               
board]  is extensively  liberalizing the  code.   He related  his                                                               
understanding that  the board wants  to allow an applicant  to be                                                               
an assistant guide without ever having hunted in Alaska.                                                                        
                                                                                                                                
1:46:11 PM                                                                                                                    
                                                                                                                                
THOR  STACEY,  Alaska  Professional Hunters  Association  (APHA),                                                               
related  support for  the passage  of CSHB  229, Version  I.   He                                                               
noted that many  of the professional members of the  APHA as well                                                               
as APHA itself  participated in the drafting  of this legislation                                                               
and  the   subcommittee  process   that  created  the   Big  Game                                                               
Commercial Services Board.   With regard to  the clarification of                                                               
the  relationship  of a  registered  guide  working with  another                                                               
registered  guide, he  reminded the  committee that  a registered                                                               
guide  is a  higher level  of licensee  than a  class-A assistant                                                               
guide.   He  explained  that the  association  requested that  to                                                               
clarify the relationship that a  registered guide be considered a                                                               
class-A  assistant guide  because  the registered  guide holds  a                                                               
higher level  of license and  pays more fees  and has to  prove a                                                               
higher level  of competency  in any game  management unit  in the                                                               
state.  The  language "in any game management unit  in the state"                                                               
had  to  be  clarified  because   class-A  assistant  guides  are                                                               
specific to units and individual  experience in the unit, while a                                                               
registered guide license enjoys privileges  all over the state to                                                               
test or qualify to contract  services in any game management unit                                                               
after  qualifying.    There  has   to  be  a  definition  of  the                                                               
relationship between two registered  guides when one is employing                                                               
the  other.     Furthermore,  the  clarification   restricts  the                                                               
relationship  by   specifically  removing   the  ability   for  a                                                               
registered  guide   employed  by  another  registered   guide  to                                                               
subcontract  or perform  the specific  functions of  a registered                                                               
guide, that being contracting a  hunt.  Therefore, the license is                                                               
restricted by  treating the registered  guide who is  employed by                                                               
another  registered guide  as a  class-A  assistant guide  rather                                                               
than allowing him/her  to remain a registered guide.   Mr. Stacey                                                               
opined that the  charge the proposal is  expanding the privileges                                                               
is  incorrect.   With regard  to the  changes in  the supervision                                                               
requirement  in Section  4, Mr.  Stacey related  that APHA  is in                                                               
support of  meaningful supervision in  the field.  The  APHA also                                                               
supports  the  progression  of  assistant  guides  to  registered                                                               
guides and registered guides to  master guides.  Such progression                                                               
is  based on  an apprenticeship  program that  requires a  lot of                                                               
supervision and  personal recommendations.  Mr.  Stacey clarified                                                               
that  APHA isn't  in favor  of reducing  supervision requirements                                                               
rather  it's in  favor  of  meaningful supervision  requirements.                                                               
The current  requirement [that  a registered  guide-outfitter who                                                               
contracts for a  guided hunt has to be physically  present in the                                                               
field with the  client at least once during  the contracted hunt]                                                               
is easily  circumvented by going outside  of a borough or  a town                                                               
and  signing a  contract  in what's  technically considered  "the                                                               
field"  and  then the  guide  licensee  being contracted  by  the                                                               
contracting guide  can say they  fulfilled the requirement.   The                                                               
aforementioned  isn't a  meaningful  supervision requirement  and                                                               
because  it's   in  statute  the   board  can't  address   it  by                                                               
regulation.   Therefore,  by removing  that clause  and inserting                                                               
the language "supervising" and "and  conducting the hunt" on page                                                       
2,  lines  24 and  25,  the  board  is  provided the  ability  to                                                               
approach   meaningful   supervision  requirements   through   the                                                               
regulatory  process of  the Big  Game Commercial  Services Board.                                                               
The intent  is not to  relax supervision requirements  but rather                                                               
allow  the creation,  discussion,  and  adaptation of  meaningful                                                               
supervision requirements through regulation.                                                                                    
                                                                                                                                
1:51:02 PM                                                                                                                    
                                                                                                                                
CO-CHAIR  FEIGE  asked  if "the  field"  is  considered  anywhere                                                               
outside of a municipal boundary.                                                                                                
                                                                                                                                
MR.  STACEY  said   that  "the  field"  is   a  very  problematic                                                               
definition as it's ambiguous and  has been interpreted in various                                                               
different manners  by the  various different  enforcing agencies.                                                               
The  intent of  the  change  [encompassed in  Version  I] was  to                                                               
maintain supervision and have a  meaningful definition of it that                                                               
will  be adapted  through the  regulatory  process with  industry                                                               
input.     The  term  "conducting"   implies  a  high   level  of                                                           
supervision/participation  of a  hunt.   The "unless"  means that                                                               
the  actual  conducting  can  be  performed  through  a  licensed                                                               
professional, either  a class-A  assistant guide or  a registered                                                               
guide  working  for another  registered  guide,  or an  assistant                                                               
guide.  However, [the registered  guide-outfitter] would still be                                                               
required  to supervise  and participate  in the  contracted hunt.                                                               
He said that "conducting" is only altered.                                                                                  
                                                                                                                                
1:53:14 PM                                                                                                                    
                                                                                                                                
MR.  STACEY then  turned  to the  language on  page  2, line  31:                                                               
"unprofessionalism, moral  turpitude, or  gross immorality."   In                                                               
discussions  of  the subcommittee  and  the  Big Game  Commercial                                                               
Services Board, there was the  perception that the aforementioned                                                               
types of conduct  were defined by a body of  case law and weren't                                                               
ambiguous  terms.   As qualified  and responsible  professionals,                                                               
[APHA]  supports having  high quality  individuals  in the  guide                                                               
industry and  is excited  to have  such language in  HB 229.   In                                                               
conclusion, Mr.  Stacey said he would  appreciate the committee's                                                               
support and rapid movement of the legislation from committee.                                                                   
                                                                                                                                
1:54:48 PM                                                                                                                    
                                                                                                                                
CO-CHAIR  SEATON  stated  that  on  page 2,  line  25,  the  term                                                               
"unless" definitely needs  to be clarified because  it reads that                                                               
everything  prior  to the  comma  is  modified by  the  "unless."                                                               
Therefore, it's not clear that  it would only apply to conducting                                                               
the  hunt  but  rather  would   also  apply  to  supervising  and                                                               
participating in  the hunt.  Co-Chair  Seaton said he is  glad to                                                               
hear that  APHA wants  the provision  to require  supervision and                                                               
participation  in  the  hunt by  the  registered  guide-outfitter                                                               
while conducting  the hunt  can be  performed through  a contract                                                               
with a class-A assistant guide.                                                                                                 
                                                                                                                                
MR. STACEY  agreed with Co-Chair  Seaton.  He specified  that the                                                               
provision attempts  to clarify  whether a  contracting registered                                                               
guide can  go and get  supplies in the  middle of the  season and                                                               
leave the hunt to be conducted by those in the field.                                                                           
                                                                                                                                
1:56:32 PM                                                                                                                    
                                                                                                                                
MR. STACEY,  in response to Representative  Munoz, explained that                                                               
a class-A assistant guide is a  license fee that has a high level                                                               
of experience  in a  specific game management  unit or  region of                                                               
the state.   A class-A  assistant guide  is a type  of registered                                                               
guide that  can't contract a  hunt, but is  an expert in  a local                                                               
game management unit  or area and has the ability  to supervise a                                                               
camp without a registered guide being physically present.                                                                       
                                                                                                                                
1:57:31 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE MUNOZ,  drawing from  earlier testimony,  asked if                                                               
this  provision could  result in  the hunt  being conducted  by a                                                               
guide 18 years of age.                                                                                                          
                                                                                                                                
MR.  STACEY said  that a  guide conducting  an unsupervised  hunt                                                               
would have  to be at  least 20 year  old, which is  the threshold                                                               
for a  class-A assistant guide.   An assistant guide could  be 18                                                               
years of age.                                                                                                                   
                                                                                                                                
CO-CHAIR FEIGE  informed the committee  that a  class-A assistant                                                               
guide must be at least 21 years of age.                                                                                         
                                                                                                                                
MR. STACEY remarked  that the question is what  level of licensed                                                               
professional will be  allowed to supervise a camp.   A registered                                                               
guide needs  to have the trust  in either a class-A  assistant or                                                               
another registered guide to supervise a camp.                                                                                   
                                                                                                                                
1:58:37 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE P.  WILSON surmised then that  a class-A assistant                                                               
or another  registered guide  supervising a  camp is  a temporary                                                               
situation,  such as  when the  registered guide-outfitter  has to                                                               
get supplies.                                                                                                                   
                                                                                                                                
MR. STACEY  pointed out that a  registered guide can have  two or                                                               
three clients  in the field at  the same time as  the contracting                                                               
hunter  and  have  licensed professionals  with  them  in  camps.                                                               
Furthermore,  the   [registered  guide]  isn't  required   to  be                                                               
physically  present  through  the   beginning  and  end  of  each                                                               
client's  hunt; otherwise  there would  be no  way to  have three                                                               
clients during a  10-day season.  The goal of  the supervision is                                                               
to ensure  that the registered guide,  the experienced individual                                                               
who  holds the  land use  permit and  has the  right to  contract                                                               
hunts, has an adequate level  of control and supervision over the                                                               
guides  in  the  field  while protecting  the  interests  of  his                                                               
clients.   Therefore,  the provision  [in  Version I  on page  2,                                                               
lines  24-27]   clarifies  [the  contracting   registered  guide-                                                               
outfitter's]  ability to  allow a  class-A assistant  guide or  a                                                               
registered guide working for [the contracting registered guide-                                                                 
outfitter] to supervise the camps,  to the capacity their license                                                               
status  specifies.   The  contracting registered  guide-outfitter                                                               
still  has to  participate  and supervise  anyone  who works  for                                                               
him/her  and any  hunts that  he/she  is contracting.   Having  a                                                               
registered guide-outfitter in  the field for every  hunt and camp                                                               
isn't necessarily the intent of supervision.                                                                                    
                                                                                                                                
2:01:00 PM                                                                                                                    
                                                                                                                                
MR.  STACEY, in  further  response to  Representative P.  Wilson,                                                               
said that  most guides have  one-on-one relationships  with their                                                               
assistant or client.  There are  cases in which a client may want                                                               
to hunt  with another  client and  the guide  in the  field would                                                               
then  have two  clients.   In such  cases, the  aforementioned is                                                               
clearly  laid  out  in  the   business  arrangement  between  the                                                               
registered guide and  the clients.  The goal  with supervision is                                                               
to  ensure   that  the  registered   guide  is   supervising  and                                                               
administering as  the highest qualified professional  and the one                                                               
that has  the legal right  to contract  the hunt.   The assistant                                                               
guides have to  be allowed to hunt as part  of the progression of                                                               
the responsibilities of the license.                                                                                            
                                                                                                                                
2:02:26 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE P. WILSON inquired as  to the difference between a                                                               
registered guide outfitter and a class-A assistant guide.                                                                       
                                                                                                                                
MR. STACEY  clarified that a  registered guide outfitter  has the                                                               
ability to  contract a hunt  and enter into a  business agreement                                                               
with  a client.   The  only privilege  a class-A  assistant guide                                                               
enjoys  that  an  assistant  guide  doesn't  is  the  ability  to                                                               
supervise a camp  unattended in a game management  unit for which                                                               
they are  licensed.  He  characterized a class-A  assistant guide                                                               
as  a regional  expert.   The registered  guide and  master guide                                                               
license  holders  are the  only  two  license statuses  with  the                                                               
ability to contract and represent big game hunting in Alaska.                                                                   
                                                                                                                                
2:03:31 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE   HERRON  related   his  understanding   that  the                                                               
language "the field" as related  to a business relationship means                                                               
that it's a defined area or the area of business.                                                                               
                                                                                                                                
MR. STACEY  posed a scenario in  which a guide conducts  hunts on                                                               
state lands  outside of  Port Heiden, which  is within  the guide                                                               
use area  in which the guide  conducts business.  Port  Heiden is                                                               
considered an  area of habitation because  it has infrastructure,                                                               
and  thus it's  not considered  "the field."   However,  when one                                                               
walks down  to the  river on  state land,  [it is  considered the                                                               
field].     He  noted  that  the   following  existing  statutory                                                               
language:   "physically present in  the field with the  client at                                                               
least  once  during  the contracted  hunt"  doesn't  fulfill  the                                                               
intent  of  supervision.    By  approaching  this  definition  in                                                               
regulation,  he opined  that there's  a  better chance  to get  a                                                               
handle on it.  In  further response to Representative Herron, Mr.                                                               
Stacey indicated that  debating the definition of  "the field" in                                                               
regulations would be preferable to in statute.                                                                                  
                                                                                                                                
2:05:20 PM                                                                                                                    
                                                                                                                                
CO-CHAIR SEATON  posed a scenario  in which three  guides partner                                                               
and provide services  in nine areas rather than three.   He asked                                                               
if the  aforementioned is a  realistic possibility  and something                                                               
APHA supports.                                                                                                                  
                                                                                                                                
MR.  STACEY   specified  that  APHA   supports  the   three  area                                                               
restriction that  is three guide  use areas per  registered guide                                                               
licensee.   The  abuse  or  utilization of  that  is outside  the                                                               
sphere of two  registered guides deciding to  work together; it's                                                               
slightly outside of  the sphere of this legislation.   He pointed                                                               
out that  the removal  of the  language on  page 2,  lines 16-19,                                                               
would further restrict the ability  to subcontract.  A registered                                                               
guide license has  the specific power to sign  or contract hunts.                                                               
Therefore, by  removing the aforementioned language  and treating                                                               
that registered  guide as  a class-A  assistant guide  would help                                                               
clarify that another  registered guide can't sign  a contract for                                                               
the registered  guide by whom  he is employed.   He said  that he                                                               
would read  the language  [in Section 3]  such that  a registered                                                               
guide-outfitter  who is  employed  by  another registered  guide-                                                               
outfitter couldn't  contract for the employing  registered guide-                                                               
outfitter.                                                                                                                      
                                                                                                                                
2:08:33 PM                                                                                                                    
                                                                                                                                
PAUL  JOHNSON,   Chair,  Big  Game  Commercial   Services  Board,                                                               
explained to  the committee  that originally  many of  the issues                                                               
were  addressed in  regulation,  but when  the  board sunset  the                                                               
overriding  issues  were placed  in  statute.   He  informed  the                                                               
committee that the  [board] has a lot of  regulations that define                                                               
supervision  and  participation.    With  regard  to  Mr.  Want's                                                               
request to change the language on  [page 1, line 8] from "may" to                                                               
"shall"  so that  the  board  has to  address  these issues,  Mr.                                                               
Johnson  said it's  a reasonable  request.   Trying  to sort  out                                                               
these  matters in  statute is  impossible, but  doing so  through                                                               
regulation  would allow  one to  address the  changes over  time.                                                               
[Under  existing  statute],  subcontracting is  occurring.    Mr.                                                               
Johnson  emphasized the  difficulty the  board has  had over  the                                                               
years as it has  tried to define "in the field".   He related his                                                               
understanding that [the  language in Version I]  requests more of                                                               
a  registered guide-outfitter  who  contracts for  a guided  hunt                                                               
than being  physically present  in the field  with the  client at                                                               
least  once.   Being able  to define  supervision, participation,                                                               
and what  conducting a hunt means  would then allow the  board to                                                               
define "conducting".   Mr. Johnson said he  understood Mr. Want's                                                               
concern regarding the  inclusion of the term "unless"  on page 2,                                                               
line 25.   However, it was  made clear [by the  Department of Law                                                               
(DOL)]  that it  would allow  the board  to define  those.   With                                                               
regard  to  the  inclusion of  the  language  "unprofessionalism,                                                               
moral turpitude,  or gross  immorality", he  opined that  most of                                                               
the boards  have such  language.   He then  pointed out  that the                                                               
guiding industry,  a $300 million  industry, has never  asked the                                                               
state  for  any  funds.    Although  he  acknowledged  there  are                                                               
problems,  he  said was  proud  of  the  guiding industry.    The                                                               
standards of the guiding industry  have been increased, but those                                                               
standards that have been placed  in statute don't allow the board                                                               
to deal  with them as things  arise.  Mr. Johnson  stated that he                                                               
would like to  see the board deal with these  issues and give the                                                               
flexibility to sort them out over time.                                                                                         
                                                                                                                                
2:12:46 PM                                                                                                                    
                                                                                                                                
MR.   JOHNSON  returned   to  the   inclusion  of   the  language                                                               
"unprofessionalism,  moral turpitude,  or  gross immorality"  and                                                               
related that  the state  is forced to  give applicants  without a                                                               
fine of up to $2,500 a  [guiding] license.  Once an individual is                                                               
given  a license,  it's a  property right  given to  them by  the                                                               
state and the cost  to [revoke or suspend] it is  huge.  In fact,                                                               
the cost  of the hearing  is $30,000.   These costs are  borne by                                                               
the  guides   through  their  licensing   fees.     The  industry                                                               
desperately needs that provision.   The industry also needs to be                                                               
able to address  some of the lighter offenses so  that the courts                                                               
don't have  to suspend  a license for  those type  of violations.                                                               
He  then said  he is  always disappointed  when he  hears that  a                                                               
guide is unethical  to the point of hunting a  local drainage [to                                                               
the  point of  no resource].   With  regard to  earlier mentioned                                                               
concerns,  he  clarified that  the  board  wants the  contracting                                                               
guide to  participate [in the  hunt] and be  able to fly  out and                                                               
meet  [supplies or  other clients]  as  they are  brought to  the                                                               
field.    In conclusion,  Mr.  Johnson  expressed hope  that  the                                                               
legislation  will  be  moved  forward  as  there  are  some  very                                                               
important provisions in this legislation.                                                                                       
                                                                                                                                
2:16:13 PM                                                                                                                    
                                                                                                                                
CO-CHAIR FEIGE  related his  understanding that  this legislation                                                               
was  developed  from  the  Big  Game  Commercial  Services  Guide                                                               
Board's recommendations for changes to the statute.                                                                             
                                                                                                                                
MR. JOHNSON confirmed  that, and highlighted that  there has been                                                               
controversy  in the  guiding industry  for  a long  time and  the                                                               
board would  like legislation  to clean  up the  guiding industry                                                               
statutes over  time.  The board  has been told that  the language                                                               
in Version I would allow  them to define the terms "supervision",                                                               
"participation", and "conducting" even with  the inclusion of the                                                               
term "unless".                                                                                                                  
                                                                                                                                
2:17:45 PM                                                                                                                    
                                                                                                                                
CO-CHAIR FEIGE  surmised then that  Mr. Johnson  believes passage                                                               
of  Version I  would  provide  the board  the  authority to  make                                                               
judgment  calls and  specify more  clearly in  regulation exactly                                                               
the standard to which hunters and guides would be held.                                                                         
                                                                                                                                
MR. JOHNSON said that is correct.   He then noted that the class-                                                               
A  assistant guide  license  was designed  to  ensure that  rural                                                               
residents  have [guiding]  work.   He  further  noted that  every                                                               
landholder,   including  the   federal   government,  the   state                                                               
government,  and the  private holders,  have their  own [guiding]                                                               
provisions.  He mentioned that  the state, through the Department                                                               
of  Natural Resources  (DNR) process,  has been  working on  [the                                                               
process].                                                                                                                       
                                                                                                                                
2:19:32 PM                                                                                                                    
                                                                                                                                
REPRESENTATIVE P.  WILSON asked whether there  are definitions of                                                               
"supervising",  "participating",  and  "conducting" or  do  those                                                       
terms need to be defined.                                                                                                       
                                                                                                                                
MR. JOHNSON clarified that  "supervising" and "participating" are                                                           
defined and now  [Version I] would provide the  ability to define                                                               
"conducting".  "So, that word  'conducting' ... for both sides of                                                           
... the word 'unless' would  allow us to define 'conducting' that                                                               
they wouldn't,  for instance,  be able to  conduct a  hunt unless                                                               
this level of supervision happens," he explained.                                                                               
                                                                                                                                
2:20:15 PM                                                                                                                    
                                                                                                                                
CO-CHAIR SEATON  related that  although he  is supportive  of the                                                               
legislation, he  wanted to  ensure that  the board  isn't saddled                                                               
with statute that  says the board can't do what  it wants because                                                               
the  term "unless"  was  in  the wrong  place.   Co-Chair  Seaton                                                               
thanked Mr.  Johnson for  the testimony  regarding the  intent of                                                               
the legislation, which should be helpful.                                                                                       
                                                                                                                                
MR. JOHNSON agreed that the intent discussion would be helpful.                                                                 
                                                                                                                                
2:21:31 PM                                                                                                                    
                                                                                                                                
CO-CHAIR FEIGE announced that HB 229 would be held over.                                                                        
                                                                                                                                

Document Name Date/Time Subjects
HB 280 - Version M.pdf HRES 2/15/2012 1:00:00 PM
HB 280
HB 280 Sponsor Statement.pdf HRES 2/15/2012 1:00:00 PM
HB 280
HB280-DNR-DOG-2-10-12.pdf HRES 2/15/2012 1:00:00 PM
HB 280
NANA Regional Corp. Land Status.pdf HRES 2/15/2012 1:00:00 PM
HB 280 NW AK Oil & Gas Play.pdf HRES 2/15/2012 1:00:00 PM
HB 280
Geology & Hydrocarbon Potential - Kotzebue Basin - NANA Regional Corp.pdf HRES 2/15/2012 1:00:00 PM
HB 229 BGCS Fact Sheet.pdf HRES 2/15/2012 1:00:00 PM
HB 229
HB 229 Sponsor Statement.pdf HRES 2/15/2012 1:00:00 PM
HB 229
HB229 DCCED Fiscal Note.pdf HRES 2/15/2012 1:00:00 PM
HB 229
CSHB 229 Ver I.pdf HRES 2/15/2012 1:00:00 PM
HB 229
HB229 Sectional.pdf HJUD 3/2/2012 1:00:00 PM
HRES 2/15/2012 1:00:00 PM
HB 229
HB229 Support - APHA.pdf HRES 2/15/2012 1:00:00 PM
SJUD 4/6/2012 1:30:00 PM
HB 229
HB229 Support - BGCSB.pdf HRES 2/15/2012 1:00:00 PM
SJUD 4/6/2012 1:30:00 PM
HB 229
HB229 Support - Gunlogson.pdf HRES 2/15/2012 1:00:00 PM
SJUD 4/6/2012 1:30:00 PM
HB 229
HB229 Support Letter - Kubat.pdf HJUD 3/2/2012 1:00:00 PM
HRES 2/15/2012 1:00:00 PM
SJUD 4/6/2012 1:30:00 PM
HB 229
HB229 Support Letter - Vrem.pdf HRES 2/15/2012 1:00:00 PM
SJUD 4/6/2012 1:30:00 PM
HB 229