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The first and second Trump Administrations and the Biden Administration have issued executive orders announcing U.S. policies to build and strengthen the resiliency of domestic critical mineral supply chains. OnMost recently, on April 24, 2025, as part of a broader national effort to secure reliable supplies for critical minerals, the Trump Administration issued Executive Order 14285, "Unleashing America's Offshore Critical Minerals and Resources." Critical minerals include any minerals, elements, substances, or materials that are determined to bedesignated as such by the Secretary of the Interior, based on a determination that they are essential to the economic and national security of the United States, have a supply chain vulnerable to disruption, and play an essential role in manufacturing a product whose absence would significantly affect U.S. economic or national security. One potential source of critical minerals is the U.S. outer continental shelf (OCS), the federally managed ocean area extending from the outer boundaries of state-controlled waters (generally 3 nautical miles [nmi] from shore) to 200 nmi from shore, with some exceptions. Experts estimate that 37 of the U.S. Geological Survey's (USGS's) 2022 list of 50 critical minerals occur on the OCS. Seabed deposits with critical mineral resources may occur across the OCS, but not all deposits on the OCS may be economically viable.
The Bureau of Ocean Energy Management (BOEM), within the Department of the Interior (DOI), administers offshore energy and mineral leasing on the OCS, pursuant to the Outer Continental Shelf Lands Act (OCSLA, as amended; 43 U.S.C. §§1331-1356c). BOEM's two primary roles related to critical minerals consist of (1) evaluating the OCS for these resources and (2) leasing submerged lands for critical mineral development. Within BOEM, the Marine Minerals Program seeks to facilitate access to and manage marine minerals on the OCS. To date, the Marine Minerals Program has supported work to evaluate critical mineral resources on the OCS, but BOEM has not issued any leases for critical mineral exploration and development. On February 3, 2025, the Secretary of the Interior, in Secretarial Order 3417, directed all DOI bureaus and offices to identify authorities to facilitate identification, permitting, and leasing of critical minerals on federal lands and the OCS, among other directives. On April 158, 2025, Impossible Metals, a U.S. deep-sea mining company, announced that it had submitted a request to BOEM to commence a leasing process for exploration and potential development of critical minerals on the OCS offshore of American Samoa.
BOEM works with the National Oceanic and Atmospheric Administration (NOAA) and USGS to determine which areas of the OCS have potential for critical minerals. For example, these three agencies contributed to the National Strategy for Ocean Mapping, Exploring, and Characterizing the United States Exclusive Economic Zone (NOMEC Strategy). The Implementation Plan for the NOMEC Strategy was issued in 2021. A goal of the NOMEC Strategy is to "explore and characterize priority areas," such as areas with potential for critical minerals. In addition to the NOMEC Strategy, BOEM is developing the National Offshore Critical Minerals Inventory (NOCMI), a conceptual framework to organize its resource evaluation and environmental research related to critical minerals on the OCS. BOEM collaborates with NOAA and USGS to fund, plan, and conduct research relevant to the NOCMI. These agencies have studied or plan to study multiple areas of the OCS, including OCS areas in the western Aleutian Islands (offshore of Alaska), the Escanaba Trough (offshore of California), north of Puerto Rico, around Hawaii and the U.S. Pacific Island territories (e.g., American Samoa, Guam, Northern Mariana Islands), and in the Gulf of America for sites with potential for critical minerals.
As the federal government works to strengthen the United States' domestic critical mineral supply chain, Congress may consider BOEM's role related to the evaluation and assessment of the OCS for these resources as well as the agency's role in leasing submerged lands for critical minerals. For example, Congress may evaluate the structure, staffing, and funding of BOEM's Marine Minerals Program. Congress also could address whether BOEM should pursue critical mineral leasing in areas offshore of U.S. territories that are anticipated to have critical mineral resource potential, following an amendment to the OCSLA (in P.L. 117-169) that redefined the OCS to include these territorial areas. Other considerations may include whether BOEM's regulations for marine minerals pose economic burdens for the mining industry. Congress may consider how the Jones Act (Section 27 of the Merchant Marine Act of 1920; P.L. 66-261), which requires that waterborne transportation between "U.S. points" be conducted only by vessels built in the United States and owned and crewed by U.S. citizens, might impact critical mineral activities on the OCS. Congress also may weigh potential environmental impacts of mining on the OCS and options for mitigating such impacts.
Critical minerals are defined in federal statute to include any non-fuel minerals, elements, substances, or materials that are determined to bethe Secretary of the Interior designates as such based on the determination that they are essential to the economic and national security of the United States, have a supply chain vulnerable to disruption, and play an essential role in manufacturing a product whose absence would significantly affect U.S. economic or national security.1 The first and second Trump Administrations and the Biden Administration each issued executive orders announcing U.S. policies to build and strengthen the resiliency of domestic critical mineral supply chains.2 For example, inIn December 2017, President Trump issued Executive Order (E.O.) 13817, "A Federal Strategy to Ensure Secure and Reliable Supplies of Critical Minerals," which made it the "policy of the Federal Government to reduce the Nation's vulnerability to disruptions in the supply of critical minerals" and stated that the U.S. government willwould further this policy by "identifying new sources of critical minerals," among other activities.3 The Energy Act of 2020 (Division Z of P.L. 116-260) directed the President to coordinate the work of departments and agencies to "facilitate the availability, development, and environmentally responsible production of domestic resources to meet national material or critical mineral needs."3
At the start of his second term, President Trump issued E.O. 14154, "Unleashing American Energy," which, among other provisions, encourages energy exploration on the OCSU.S. outer continental shelf (OCS) and aims to establish the United States as the leading producer and processor of non-fuel minerals, including rare earth minerals.4 President Trump also issued E.O. 14156, "Declaring a National Energy Emergency," which directs agencies to use emergency authorities and other authorities to facilitate, among other things, identification, permitting, and leasing of energy resources, including critical minerals.5 The Energy Act of 2020 (Division Z of P.L. 116-260) directed the President to coordinate the work of departments and agencies to "facilitate the availability, development, and environmentally responsible production of domestic resources to meet national material or critical mineral needs."6 Most recently, on4 On April 24, 2025, President Trump issued Executive OrderE.O. 14285, "Unleashing America's Offshore Critical Minerals and Resources," which mademakes it the priority of the United States to "rapidly develop ... domestic capabilities for the exploration, characterization, collection, and processing of seabed mineral resources."7
One potential source of critical minerals is the U.S. outer continental shelf (OCS)OCS, the federally managed ocean area extending from the outer boundaries of state-controlled waters (generally 3 nautical miles [nmi] from shore) to at least 200 nmi from shore, with some exceptions (Figure 1).86 Critical minerals may occur on the OCS at the surface of the seabed and marine geologic features (e.g., seamounts), as well as inside some geologic features, such as hydrothermal vents (see "Potential OCS Critical Mineral Deposits," below). The Bureau of Ocean Energy Management (BOEM), within the Department of the Interior (DOI), administers offshore energy and mineral leasing on the OCS. According to BOEM, the United States is "lagging other nations in domestic [critical mineral] planning and investments, including scientific research" on critical minerals on the OCS (see textbox below, "Countries Pursuing Seabed Mineral Resources on Their Continental Shelves").97 On February 3, 2025, the Secretary of the Interior directed all DOI bureaus and offices to identify authorities to facilitate critical mineral activities, as well as activities related to the development of other domestic energy resources, on federal lands and the OCS.10 E.O. 14285 directed the Secretary of the Interior to "establish an expedited process for reviewing and approving permits for prospecting and granting leases for the exploration, development and production of seabed minerals resources" within the OCS.11 The executive order8 In response to E.O. 14285, on June 25, 2025, DOI announced that BOEM and its sister agency, the Bureau of Safety and Environmental Enforcement (BSEE), were updating their policies across all stages of development for offshore critical minerals.9 E.O. 14285 also directed the Secretary of the Interior to identify which critical minerals may be derived from the seabed, among other actions.
BOEM's two primary roles related to critical minerals consist of (1) evaluating the OCS for these resources and (2) leasing submerged lands for critical mineral development. Within BOEM, the Marine Minerals Program seeks to facilitate access to and manage non-energy marine minerals on the OCS.1210 The Marine Minerals Program has supported work to evaluate critical mineral resources on the OCS. To date, BOEM has not issued any leases for critical mineral exploration and development.1311 In response to an April 2025 request from a U.S. deep-sea mining company, BOEM published in the Federal Register on June 16, 2025, a request for information and interest in a critical mineral lease sale offshore of American Samoa, initiating the first formal step toward a potential lease sale for that area.12 With regard to evaluation, BOEM has produced prospective maps, based on models and expert knowledge, of where critical minerals could be present on the OCS.1413 This report addresses BOEM's research on the occurrence of critical minerals on the OCS, BOEM'sits work to collect data on baseline environmental conditions, its regulations for critical mineral leasing, its leasing activities, and issues for congressional consideration.
Figure 1. U.S. Outer Continental Shelf, Including Extended Continental Shelf |
Source: CRS, modified from Bureau of Ocean Energy Management, "Outer Continental Shelf," https://www.boem.gov/oil-gas-energy/leasing/outer-continental-shelf, and using Stephen R. Hartwell et al., Polygons of Global Undersea Features for Geographic Searches, U.S. Geological Survey Open-File Report 2014–1040, ver. 1.1, June 2018, https://doi.org/10.3133/ofr20141040. Notes: The OCS generally extends to 200 nautical miles (nmi) from shore. In some areas, the United States has claimed extended continental shelf (ECS) beyond this 200-nmi limit based on geological and geophysical data, thereby extending the outer limits of the OCS. In cases where the OCS abuts a neighboring country's continental shelf, the OCS may measure less than 200 nmi from the U.S. shoreline. |
BOEM's program for the OCS is separate from federal activities related to critical mineral exploration in international waters. For critical minerals occurring in areas beyond national jurisdiction, the National Oceanic and Atmospheric Administration (NOAA) has authority to issue exploration licenses and commercial recovery permits for hard mineral resources (i.e., seabed minerals).1514 For more information on critical mineral exploration in international waters, see CRS In Focus IF12608, U.S. Interest in Seabed Mining in Areas Beyond National Jurisdiction: Brief Background and Recent Developments; and CRS Report R47324, Seabed Mining in Areas Beyond National Jurisdiction: Issues for Congress.
Countries Pursuing Seabed Mineral Resources on Their Continental Shelves Several countries have taken steps to mine for seabed minerals on their continental shelves. For example, the Cook Islands, India, Japan, and Norway have passed domestic laws related to seabed mining activities in their national waters, invested in the exploration of their continental shelves for marine minerals, and/or developed technology for the purpose of commercial recovery. The Cook Islands Seabed Mineral Authority estimates that 6.7 billion metric tons of polymetallic nodules—potato-shaped rocks lying on the deep seafloor that may contain cobalt, copper, manganese, nickel, and rare earth elements (REEs)—occur on the country's continental shelf. The Cook Islands Seabed Minerals Authority estimates these nodules contain 20 million metric tons of cobalt. In 2022, the Authority issued three five-year licenses to explore for polymetallic nodules on the Cook Islands continental shelf. As of India's domestic legislation for offshore seabed mining, the Offshore Areas Mineral (Development and Regulation) Act, was amended in 2023 to include an auction method for allocating operating rights within Indian waters. In November 2024, the Ministry of Mines identified 13 offshore mineral blocks for auction in three regions across India's continental shelf. Seven of these blocks, all located off Great Nicobar Island in the eastern Indian Ocean, will be auctioned for polymetallic nodules and crusts, which are expected to contain cobalt, iron, lead manganese, nickel, and REEs. Some opponents of seabed mining have reported that the Geological Survey of India conducted limited observational studies off Great Nicobar Island. Fishers in the southern state of Kerala have expressed concerns about the impact of offshore mining on local fisheries and thus have opposed the auction of these mineral blocks.In 2010, Japan experienced REE supply disruptions from China, which controls more than 70% of the global market share in REEs. Japan has since explored its continental shelf for seabed mineral deposits, in accordance with a domestic 2007 ocean policy law. In 2017, a Japanese government-owned mining company reportedly mined zinc and other minerals from an inactive hydrothermal vent on Japan's continental shelf. Japan's government also has invested in pumping machinery to extract deep-sea muds for REEs; researchers estimate these muds could meet annual global demands for some REEs, such as yttrium, europium, terbium, and dysprosium, for 30-60 years. Some experts speculate that seabed mining within Japan's national waters could shift it from being import dependent to being a mineral resources-producing country. In 2008, Norwegian geologists discovered a hydrothermal vent system located on Norway's continental shelf that occurs along the Arctic Mid-Ocean Ridge. Some geologists have speculated that economic quantities of minerals (e.g., copper, zinc) occur in the deposits surrounding the vent system. On January 9, 2024, the Norwegian Parliament opened an area of its continental shelf for commercial-scale mining activities. Following the Norwegian Parliament's decision, the European Parliament passed a resolution expressing its concerns about Norway opening an area of its continental shelf for mining. On December 1, 2024, Norway's Socialist Left Party blocked the government's plans to offer the country's first deep-sea mining exploration permits in early 2025 due to environmental concerns. Norway's Ministry of Energy plans to hold the first licensing round in 2026, according to reporting. Sources: Rosanna Carver et al., "A Critical Social Perspective on Deep Sea Mining: Lessons from the Emergent Industry in Japan," Ocean & Coastal Management, vol. 193 (2020), pp. 1-10; Maia Davies, "Norway Suspends Controversial Deep-Sea Mining Plan," BBC, December 2, 2024, https://www.bbc.com/news/articles/c9wlj8l8kr7o; Cook |
In 2022, the Secretary of the Interior, acting through the Director of the U.S. Geological Survey (USGS), published a list of 50 critical minerals, of which 37 occur on the OCS (Figure 2).1615 In 2023, the United States was 100% net import reliant for five of the critical minerals that occur on the OCS—gallium, manganese, niobium, scandium, and yttrium.1716 E.O. 14285, among other things, directeddirects the Secretary of the Interior to "identify which critical minerals may be derived from seabed resources and coordinate with the Secretary of Defense and the Secretary of Energy to indicate which critical minerals are essential for applications such as defense infrastructure, manufacturing, and energy."18
Figure 2. Critical Minerals Occurring Offshore (with subset of minerals occurring on the U.S. outer continental shelf) |
Source: Bureau of Ocean Energy Management, " |
BOEM has identified five main categories of mineral deposits on the OCS that may contain critical minerals: nearshore mineralsheavy mineral sands (known as placers), phosphorites, hydrothermal deposits, ferromanganese crusts, and polymetallic nodules (Table 1).1917 Each deposit type is described below, generally in order from deposits occurring nearshore to farthest offshore.
Deposit |
Description |
Depth (meters) |
Potential Critical Minerals |
Placers (heavy mineral sands) |
Heavy minerals mixed with other mud- and sand-sized grains deposited by a river or glacier in a marine nearshore environment |
< 200 |
Platinum, tin, titanium, and some REEs |
Phosphorites |
Sedimentary rocks containing a high concentration of calcium phosphate that generally occur along continental shelves, slopes, and seamounts |
< 1,000 |
Some REEs |
Hydrothermal deposits (seafloor massive sulfide deposits) |
Mineral accumulations that form from hot waters emitted at seafloor spreading ridges and areas of undersea volcanic activity |
100 to 7,000 |
Antimony, bismuth, gallium, germanium, tellurium, and zinc |
Ferromanganese crusts |
Mineral encrustations that form on hard surfaces from seawater rich in dissolved metals occurring in volcanically active regions such as seamounts |
600 to 7,000 |
Cobalt, manganese, nickel, platinum, tellurium, and some REEs, such as scandium |
Polymetallic nodules |
Potato-shaped rocks composed of concentric layers that form over millions of years as minerals from the seawater and sediment pore water accrete around a hard nucleus (e.g., shark tooth, whale ear bone, rock fragment) lying on the deep seafloor |
4,000 to 7,000 |
Cobalt, lithium, manganese, nickel, tellurium, titanium, and some REEs |
SourceSources: Bureau of Ocean Energy Management (BOEM), "National Offshore Critical Minerals Inventory: Types of Relevant Marine Mineral Deposits," https://www.boem.gov/marine-minerals/offshore-critical-mineral-resources; BOEM, Budget Justification and Performance Information Fiscal Year 2025, p. 94critical-minerals/types-relevant-marine-mineral-deposits; and BOEM and U.S. Geological Survey, "America's Offshore Critical Mineral Resources," fact sheet, pp. 1-2, https://www.boem.gov/sites/default/files/documents/marine-minerals/Critical%20Mineral%20State.pdf.
Notes: REEs = rare earth elements. The REEs that may be found within marine deposits include scandium, yttrium, lanthanum, cerium, praseodymium, neodymium, samarium, europium, gadolinium, terbium, dysprosium, holmium, erbium, thulium, ytterbium, and lutetium.
Of the five types of deposits, the nearest to shore are placers—sedimentary deposits concentrated with heavy minerals that formed by surface weathering and erosion of primary rocks (e.g., bedrock) that are transported and redeposited by gravity, water, glacial activity, or wind.20 Marine placers occur in coastal nearshore environments and may contain critical minerals, such as platinum, tin, titanium, and some rare earth elements (REEs).21
Phosphorites are sedimentary rocks containing a high concentration of calcium phosphate. These rocks generally occur in water depths less than 1,000 meters (m) along continental shelves and slopes, as well as on seamounts. Depending on the location, these deposits may contain one or more REEs.
Hydrothermal deposits (also known as seafloor massive sulfide deposits) can precipitate from hot waters emitted at seafloor spreading ridges and areas of undersea volcanic activity, such as the Juan de Fuca Ridge located off the Pacific Northwest coast of North America. These deposits generally occur in water depths ranging from 100 to 7,000 m. Hydrothermal deposits may contain critical minerals, such as antimony, bismuth, gallium, germanium, tellurium, and zinc.
Ferromanganese crusts are layers (typically less than 25 centimeters thick) of mineral encrustations that form on hard surfaces (e.g., rocks) from seawater rich in dissolved metals occurring in volcanically active regions, such as seamounts and ridges, at water depths of 600 to 7,000 m. These crusts generally form on the tops and flanks of seamounts, precipitating at a growth rate of less than 1 to 4 millimeters per million years. Ferromanganese crusts may contain critical minerals such as cobalt, manganese, nickel, platinum, tellurium, and some REEs, such as scandium.
Polymetallic nodules are potato-shaped rocks lying on the deep seafloor, typically at water depths of 4,000 to 7,000 m. The nodules are formed over millions of years as minerals from the seawater and sediment pore water accrete around a hard nucleus (e.g., shark tooth, whale ear bone, rock fragment), forming concentric layers. Critical minerals contained in polymetallic nodules may include cobalt, lithium, manganese, nickel, tellurium, titanium, and REEs.
Three of these five types of marine deposits—hydrothermal deposits, ferromanganese crusts, and polymetallic nodules—also occur beyond the OCS in international waters.2218 Some countries are actively exploring areas of the international seabed with potential for high concentrations of certain critical minerals.23 The United States is not currently pursuing exploration of the international seabed for the purpose of commercial recovery of critical minerals.24
Two types of deposits—placers and phosphorites—tend to occur in shallow water environments, potentially including U.S. state waters. However, the quantities and types of critical minerals and REEs found nearest to shore may not be of commercial interest. Seabed minerals of commercial interest tend to occur in deeper waters beyond state jurisdiction (see Table 1).
Oregon, Washington, California, Hawaii and AmericaAmerican Samoa prohibit mining in the waters under their jurisdiction (i.e., the first 3 nmi seaward of the coastline).2521 These U.S. states and territories may allow for certain mining exceptions (e.g., beach replenishment, scientific research).
BOEM's Marine Minerals Program is developing a National Offshore Critical Minerals Inventory (NOCMI). The NOCMI aims to "locate, identify, and understand the potential offshore critical minerals essential for national security and economic resilience."26 and assess deposits" of offshore critical minerals for U.S. economic and national security.22 BOEM collaborates with NOAA and USGS to fund, plan, and conduct research relevant to the NOCMI, including collecting data about habitats, environmental conditions, and offshore geology.2723 BOEM identifies five strategic priorities under the NOCMI.28
Additionally, several federal agencies, including BOEM, NOAA, and USGS, are coordinating research efforts and resources to achieve the goals outlined in the National Strategy for Ocean Mapping, Exploring, and Characterizing the United States Exclusive Economic Zone (NOMEC Strategy).2925 The interagency National Ocean Mapping, Exploration, and Characterization (NOMEC) Council released the Implementation Plan for the NOMEC Strategy in 2021 pursuant to a 2019 presidential memorandum.3026 Among the NOMEC Strategy's goals are to completely map the U.S. seafloor and to "explore and characterize priority areas," such as areas with potential for critical minerals.31
Seabed deposits with critical mineral resources likely occur throughout the OCS, but not all deposits willmay be economically viable.3229 The types and quantities of critical minerals within seabed deposits vary geographically based on local seawater chemistry, porewater chemistry with seafloor sediments, or the resulting seawater chemistry from hot hydrothermal fluids interacting with seafloor crustal rocks.3330 Volcanic activity at ocean ridges or hydrothermal vents often increases the concentration of dissolved metals in the surrounding seawater.3431 In these areas, minerals can precipitate from the seawater onto the seabed, forming mineral deposits of potential economic value.35
BOEM, NOAA, and USGS work together to determine which areas of the OCS have potential for critical minerals.36 BOEM has funded several offshore critical mineral assessment projects on the OCS.37 In the Pacific, these projects included sites located off the western Aleutian Islands, offshore of Alaska, and in the Escanaba Trough, offshore of California (Figure 1).38 BOEM, NOAA, and USGS first explored seafloor massive sulfide deposits in the Escanaba Trough in the early 1980s.39 These three agencies also have an ongoing study through FY2027 to investigate the western Aleutian Islands for hydrothermal deposits with potential for critical minerals.40
BOEM and USGS are collaborating to assess the offshore areas around Hawaii and the U.S. Pacific Island territories for critical minerals. BOEM anticipates that U.S. Pacific Island territorial areas (e.g., American Samoa, Guam, Northern Mariana Islands) may have seamounts with ferromanganese crusts and polymetallic nodule deposits on the surrounding abyssal plains within U.S. national jurisdiction.41 In FY2022, BOEM, NOAA, and USGS used seafloor mapping technologies to investigate polymetallic nodule potential offshore of Hawaii in areas adjacent to the Clarion-Clipperton Zone, a 1.7 million-square-mile area of the international seafloor with high commercial interest.42 BOEM stated in its FY2025 budget justification that it planned to work with USGS and academic researchers to collect bottom samples from specific sites located off Hawaii.43
On February 3, 2025, Secretary of the Interior Doug Burgum issued DOI Secretarial Order (S.O.) 3418, which aims to "improve energy and critical minerals identification," among other goals, and directs DOI officials to "prioritize efforts to accelerate the ongoing, detailed geologic mapping of the United States, with a focus on locating previously unknown deposits of critical minerals."33 BOEM, NOAA, and USGS work together to determine which areas of the OCS have potential for critical minerals.34 BOEM has funded several offshore critical mineral assessment projects on the OCS.35 BOEM stated in its FY2026 budget justification that it will conduct critical mineral resource assessment and environmental characterization work in the Atlantic, Alaska, Pacific, and Gulf of America regions as part of the NOCMI.36In the Atlantic, BOEM and USGS have stated32
4437 Previous seafloor mapping and sediment core data indicate the presence of polymetallic nodules in the region north of the Puerto Rico Trench.4538 BOEM also has participated in federally funded studies to investigate a nodule field located on the Blake Plateau off the state of Georgia (Figure 1).4639 However, federal studies of the Blake Plateau nodule field have focused on ecosystem recovery post-seabed disturbance, not the potential for critical minerals within the nodule field.4740 In the 1970s, a private company conducted an experimental seabed mining pilot project on the Blake Plateau to test the nodule collecting capability of its mining machinery.4841 In 1982, USGS visited the pilot project's site to mark the area for future studies.4942 BOEM, NOAA, and USGS have returned to this site several times over the past five years to study the potential long-term environmental impacts of seabed mining.50
BOEM also stated in its FY2025 budget justification that "[i]n the Gulf of Mexico, BOEM will kick-start a multi-year study to examine the critical mineral potential of submerged salt brine pools that will extend into 2025 and beyond."51 (BOEM's FY2025 budget justification was prepared prior to the change in presidential administrations, and BOEM had not published its budget justification for FY2026 as of the date of this report.) More recently, Secretary of the Interior Doug Burgum issued DOI Secretarial Order 3418, which aims to "improve energy and critical minerals identification," among other goals, and directs DOI officials to "prioritize efforts to accelerate the ongoing, detailed geologic mapping of the United States, with a focus on locating previously unknown deposits of critical minerals."52
Offshore of Alaska, BOEM scientists have worked to understand the location and quantities of critical minerals on Alaska's OCS for potential future development.44 BOEM, NOAA, and USGS have an ongoing study through FY2027 to investigate the western Aleutian Islands for hydrothermal deposits with potential for critical minerals.45 Between June 15 and July 2, 2025, these three agencies explored hydrothermal vents and seamounts around the Aleutian Islands and gathered data on offshore critical minerals and deep-sea ecosystems.46 In the Gulf of America, BOEM previously had stated that it would "kick-start a multi-year study to examine the critical mineral potential of submerged salt brine pools that will extend into 2025 and beyond."54 The agency has listed mapping brine pools in the Gulf of America among its current activities on its webpage.55BOEM identified that information about baseline conditions of offshore environments with potential for critical minerals is "sparse."5343
5457 Such baseline data could facilitate BOEM's evaluation of future requests for lease sales (see further discussion below under "Mineral Leasing on the U.S. Outer Continental Shelf"). Specific research questions to be addressed by BOEM and NASEM include the following:
1. What is the baseline environment associated with deep sea critical mineral resources?
2. What are the potential impacts associated with deep sea critical mineral prospecting and operations activities?
3. What are potential mitigations that can be applied to deep sea critical mineral prospecting and operations activities?55
58BOEM and NASEM have stated they will engage with affiliated academic partners to develop environmental recommendations and solicit information from stakeholders related to environmental assessment of offshore critical mineral activities.56
BOEM has authority under the Outer Continental Shelf Lands Act of 1953 (OCSLA; 43 U.S.C. §§1331-1356c) to lease areas of the OCS for critical mineral exploration and development.5760 Pursuant to this authority, BOEM has issued regulations (30 C.F.R. §§580-582) addressing leasing for non-oil and gas minerals, including critical minerals.5861 To date, BOEM has not held any lease sales for critical minerals on the OCS or issued any critical mineral leases.59 In 1991, BOEM's predecessor agency planned a lease sale for offshore Alaska for gold (which is not considered a critical mineral) and associated minerals but received no bids. Earlier, in the 1960s, the federal government had issued several leases for marine phosphate mining off the California coast; these leases were later terminated. See the section entitled "Selected Previous Federal Lease Sales and Unsolicited Requests for Marine Minerals," below, for further discussion.
The leasing regulations that pertain to non-oil and gas minerals, including critical minerals, cover prospecting (pre-lease exploration for marine minerals, including geological and geophysical [G&G] explorations), leasing of rights for mineral development, and operations under a lease.6068 Commercial prospecting for marine minerals, such as through G&G surveys, requires a BOEM-issued permit unless conducted by an existing leaseholder in that entity's lease area.6169 Data acquired through prospecting must be shared with BOEM.6270 A prospecting permit is separate from a lease to develop minerals in an area, and the prospecting permit does not convey any preferential right to a lease.63 President Trump's April 24, 2025, executive order on critical minerals directs the Secretary of the Interior to develop an "expedited" process for reviewing and approving OCS critical mineral prospecting permits, as well as for granting leases.64
The leasing process may start with an unsolicited request for a lease sale or by BOEM's own initiative.72 In either case, BOEM may publish in the Federal Register a request for interest (RFI), which could specify particular areas or minerals to be considered.73 For example, on June 16, 2025, BOEM published an RFI regarding critical mineral leasing offshore of American Samoa, in response to an unsolicited request for leasing in this area (see discussion below).74 However, DOI's press release of June 25, 2025, stated that, going forward, "to speed up the leasing process," BOEM would identify potential leasing areas "right away, without first issuing a formal request for information."75 The regulations also provide that BOEM may form a joint state-federal task force with adjacent state governors as a mechanism for planning, coordination, and consultation about the leasing process. DOI's June 25, 2025, press release states that BOEM will not form such task forces, in light of efforts to speed up the leasing process.76 The leasing process may start with an unsolicited request for a lease sale or by BOEM's own initiative.65 In either case, BOEM would publish in the Federal Register a request for interest, which could specify particular areas or minerals to be considered.6671
6777 Leases are awarded through a competitive cash auction.6878 Unless otherwise specified in the leasing notice, the lease would include rights to all minerals within the leased area except for oil, gas, sulfur, and certain other reserved commodities.6979 Agreements for the use of OCS sand, gravel, and shell resources may be negotiated noncompetitively, outside of the lease sale process.70
To conduct operations once a lease is secured, a lessee must obtain BOEM's approval of multiple plans (along with any permits or approvals that may be required from other agencies under various laws).7181 A delineation plan describes activities the lessee will take to locate and characterize the minerals; it also generates information needed for subsequent plans.7282 Among other information, this includes the mineral(s) of primary interest and how they will be located and evaluated, what types of equipment will be used, where test mining will occur, anticipated impacts to the marine environment and how they will be addressed, and potential conflicts with other ocean users. A testing plan governs the lessee's program for pilot mining and testing activities, including information on testing locations and methods, equipment to be used, anticipated environmental impacts and how they will be addressed, and other information.7383 For subsequent development and production, the lessee must obtain approval of a mining plan that includes "comprehensive detailed descriptions, illustrations, and explanations of the proposed OCS mineral development, production, and processing activities," as well as plans to address environmental impacts and plans to clear the lease area when mining activities end.74
BOEM's sister agency, the Bureau of Safety and Environmental Enforcement (BSEE),84
BSEE enforces a lessee's compliance with its BOEM-approved plans. BSEE has promulgated regulations that apply to critical mineral exploration and development,7585 but to date these activities have not occurred on the OCS. Among other things, the BSEE regulations include provisions for inspections of mining operations, environmental protection measures, penalties for violating requirements and plans, and circumstances under which BSEE would suspend operations and production.
Recent Activities
To date, BOEM has not held a lease sale for critical minerals on the OCS, and competitive commercial lease sales for any types of non-oil and gas OCS minerals have been rare.86 In 1961, the Department of the Interior issued six leases for marine phosphate mining on the California OCS.7687 These six leases were terminated, however, following the "discovery of unexploded naval missiles on the ocean floor."77
88 In 1991, the Minerals Management Service, BOEM's predecessor agency, offered a marine mineral lease sale for gold and associated minerals in placer deposits in Alaska's Norton Sound, offshore of Nome (between 3 and 14 miles offshore in water depths from 66 to 99 feet).78 This offshore area, encompassing approximately 147,000 acres, was adjacent to a mined area in Alaska state waters and upland mining areas.79 No bids were received by the bid deadline, and no sale occurred.80 According to one analysis, industry indicated that "low gold prices, limited availability of mining vessels, lowest point of price curve swing, difficulty in obtaining capital financing, better opportunities in State waters, and legal uncertainty" contributed to the lack of bids.8189 No bids were received by the bid deadline, and no sale occurred.90 Neither phosphate nor gold is on USGS's 2022 list of 50 critical minerals.82
In February 2024, BOEM received an unsolicited request from Impossible Metals, a U.S. deep-sea mining company, for a lease sale for deep-sea polymetallic nodules within the OCS offshore of American Samoa (Figure 1).8392 According to BOEM, the applicant planned to target cobalt, lithium, manganese, nickel, and REEs from the nodules (Figure 2).8493 Following an internal review of the request, according to BOEM, "the BOEM Director opted not to initiate the steps leading to the offer of OCS minerals for lease, determining that further engagement with the government of American Samoa regarding this matter would be appropriate before any further action."8594 The then-Governor of American Samoa Lemanu Peleti Mauga issued an order in July 2024 banning deep seabed mining in the territorially controlled waters (i.e., the waters extending 3 nmi seaward from the shore) directly off American Samoa.8695 On January 3, 2025, Pulaali'i Nikalao Pula began his four-year term of Governor of American Samoa.8796 In part due to the new American Samoa Administration,88administration,97 on April 158, 2025, Impossible Metals announced that it had submitted another request to BOEM to commence a leasing process for exploration and potential development of critical minerals on the OCS offshore of American Samoa.89 Under BOEM regulations, the agency must respond to the request within 45 days of its receipt, either by initiating "steps leading to the offer of OCS minerals for lease" or by notifying the applicant of the reasons for not doing so.90
As the United States works to strengthen its domestic critical mineral supply chain, Congress may consider BOEM's role in evaluating areas of the OCS and leasing submerged lands for critical minerals, as well as the potential roles of other federal agencies. The sections below examine five potential issues for Congress: first, federal funding and program structure for BOEM's critical mineral activities; second, BOEM's leasing regulations for marine minerals; third, potential critical mineral leasing offshore of U.S. territoriesstate and territorial input in the critical mineral leasing process; fourth, potential interpretations by U.S. Customs and Border Protection (CBP) of certain U.S. statutes for vessels engaging in seabed mining activities on the OCS; and fifth, potential marine environmental impacts of seabed mining.
Congress may consider whether BOEM's resources to evaluate and assess mineral resources on the OCS, conduct any leasing activities, and ensure effective environmental stewardship should be increased, decreased, or retainedmaintained at current levels. Some stakeholders advocate for additional investment to facilitate exploration and development of critical minerals on the U.S. OCS. Others oppose additional investment, contendingthese federal activities. Others favor expanding BOEM's critical mineral activities by streamlining procedures in ways that would not require additional staff and funding. Some oppose additional investment based on contentions that seabed mining is an "unproven industrial endeavor" that may carry "potential financial and legal liabilities for both public and private investors."91102 In addition, some stakeholders opposeopponents of seabed mining, arguing argue that the risks and impacts of seabed mining on the environment remain unknown due to insufficient scientific information on the deep sea-sea ecosystem (see "Potential Marine Environmental Impacts of Seabed Mining," below).92
In particular, 103
Congress may consider whether to modify the structure and funding of BOEM's Marine Minerals Program, which implements the agency's critical mineral activities among other non-oil and gas activities. Historically, the program's funding and full-time equivalent (FTE) employees have focused primarily on provision of offshore sand and gravel resources (e.g., for beach nourishment projects), with fewer resources going to critical mineral-related activities. In FY2024 and FY2025, the Marine Minerals Program budget was $13.8 million.93 Of this amount, $6.2 million (45%); the FY2026 budget justification proposes maintaining this funding level.104 In FY2024, 45% of the Marine Minerals Program budget went toward sand and gravel activities and 15% ($2.1 million (15%) went toward critical minerals-related activities.94 As of July 2024, 21 of the 25 105 It is unclear whether the FY2026 request seeks to maintain or change the distribution of funding between its sand and gravel activities and its critical minerals-related activities. In July 2024, about 10% of the authorized FTE positions for the Marine Minerals Program were filled;95 of those filled positions, two were "focused on critical minerals," although other BOEM staff may support critical mineral functions on a part-time basis.96106 It is unclear how, if at all, more recent departmental initiatives to reduce the size of the DOI workforce might affect staffing for the program.97107 Congress may consider desiredwhether to increase, decrease, or maintain funding levels for the program and whether to direct any changes in the balance of critical mineral activities versus those related to sand and gravel resources.
BOEM also collaborates with other federal agencies to study critical minerals on the OCS. Seabed deposits with potential for critical minerals typically occur in deeperdeep-water environments located beyond the continental shelf (see Table 1), and data. Data collection in such environments may be resource and time intensive. As of January 2025, 54% of the U.S. seafloor had been mapped (not including the U.S. extended continental shelf declared in 88 Federal Register 88470; see Figure 1).98see Figure 1).108 On February 3, 2025, the Secretary of the Interior directed all Assistant Secretaries to include in their actions plans actions to accelerate ongoing geologic mapping of the United States, "with a focus on locating previously unknown deposits of critical minerals," which may include critical minerals on the OCS via the NOMEC Strategy (see "National Offshore Critical Minerals Inventory").99 109 Further, E.O. 14285 directed NOAAdirects the Secretary of Commerce, in consultation with the Secretary of State, the Secretary of the Interior, and heads of other relevant agencies, to develop a plan to map priority areas of the seabed, focusing on areas of the OCS with abundant or accessible undersea resources.100 Congress may consider whether to support federal agencies' efforts to map, explore, or characterize certain areas of the OCS, which may elucidate the occurrence, quantity, and potential composition of certain marine deposits.101110 Considerations could include tradeoffs between such activities and other uses of limited federal funds.
Another option to address data gaps regarding the occurrence, quantity, and quality of critical minerals on the OCS could be to direct additional activities under the Marine Minerals Resources Act of 1996 (MMRA; P.L. 104-325). The MMRA authorized the Secretary of the Interior to "establish and carry out a program of research on marine mineral resources."102111 The research program includes the following goals:
(1) promote research, identification, assessment, and exploration of marine mineral resources in an environmentally responsible manner;
(2) assist in developing domestic technologies required for efficient and environmentally sound development of marine mineral resources;
(3) coordinate and promote the use of technologies developed with Federal assistance, and the use of available Federal assets, for research, identification, assessment, exploration, and development of marine mineral resources; and
(4) encourage academia and industry to conduct basic and applied research, on a joint basis, through grants, cooperative agreements, or contracts with the Federal Government.
Congress mandated a research program under the MMRA, but has not appropriated funds to support the program's research objectives such as awarding grants or entering into cooperative agreements with eligible entities related to the identification, assessment, and exploration of marine mineral resources.103112 Additionally, three Marine Mineral Technology Centers, authorized under the MMRA,104113 have closed due to lack of funding.105114 Some stakeholders might object to additional funding for MMRA activities because funding for environmental studies is not explicitly included in the statute, although. Some might counter this objection by noting that the MMRA does direct research centers to identify, assess, explore, and manage marine mineral resources in an "environmentally sound manner."106 Others115 Other stakeholders might contend that appropriations for the MMRA could encourage the development of lower-impact recovery technologies, mitigations, and practices for deep-sea critical mineral data and sample collection.107
BOEM's critical mineral leasing regulations require that a developer obtain a permit to explore (prospect) in any unleased areas, but this permit does not convey the preferential right to lease the prospecting area (see "Mineral Leasing on the U.S. Outer Continental Shelf," above). The Administrator would issue the exploration license and commercial recovery permit at the same time thereby confirming the priority of right required that would otherwise be established through the licensing process and the ability of the permit holder to proceed to commercial recovery. That priority of right continues through the commercial recovery permit.… Once the Administrator would issue the license and permit under the consolidated process, the applicant could proceed with commercial recovery when it is ready;—this could be any time after the Administrator issues the license and permit.108117 In this respect, BOEM's regulatory framework differs from that of the International Seabed Authority (ISA) for seabed mining activities in waters beyond national jurisdiction, in that the ISA gives "preference and priority" to prospectors (holders of "exploration" contracts) when awarding seabed mining ("exploitation") contracts.109 BOEM's approach for critical mineral prospecting on the OCS is similar to its framework for geological and geophysical (G&G) explorations for OCS oil and gas, in that a BOEM permit for pre-lease G&G activities in the oil and gas context also does not convey any preference in subsequent leasing of the area for oil and gas development.110 With regard to the seabed mining industry, BOEM has 118 Also, NOAA's proposed revisions to its regulations for seabed mining activities in areas beyond national jurisdiction, issued July 7, 2025, include a consolidated exploration license and commercial recovery permit review process that follows a similar pathway to the ISA.119 Under the consolidated process,
111120 Congress could consider whether to direct BOEM to give prospecting companies preferential rights to lease the prospecting area, similar to the ISA procedure and to NOAA's proposed revisions to its regulations for seabed mining activities in areas beyond national jurisdiction. Such a change in BOEM's regulations for critical mineral leasing could encourage U.S. mining companies to seek prospecting permits, thereby increasing the chances that the mining companies would subsequently obtain a lease and produce critical minerals. However, since prospecting permits may be awarded noncompetitively under current regulations,112121 granting a prospecting entity preferential right to a lease could be seen by some to favor certain companies over others. Such a change also could reduce revenues that the federal government would receive from a competitive lease auction. Some may contend that even without a preferential right to a lease, the chance to gain proprietary geological data about a seabed area would be sufficient to incentivize companies to engage in prospecting in some cases.113
P.L. 117-169, commonly known as the Inflation Reduction Act of 2022 (IRA), amended the definition of the OCS in the OCSLA to include submerged lands offshore of U.S. territories as part of the OCS.114 The IRA also amended the definition of state in the OCSLA to include Puerto Rico, Guam, American Samoa, the U.S. Virgin Islands, and the Northern Mariana Islands.115 Although the IRA provisions primarily related to leasing for wind energy development offshore of the territories, the expanded definition of the OCS would appear to also make territorial submerged lands available for critical mineral leasing. This is because the OCSLA broadly authorizes the Secretary of the Interior to grant non-oil and gas mineral leases in "any area of the outer Continental Shelf not then under lease for such mineral."116 To date, BOEM's regulations for critical mineral leasing continue to reflect the OCSLA's earlier definition of the OCS, without the IRA amendments to include submerged lands offshore of U.S. territories.117
The IRA provisions directed the Secretary of the Interior to pursue wind leasing activities offshore of the territories, while specifying that oil and gas leasing shall not apply to U.S. territories.118 The IRA did not address potential marine (critical) mineral leasing off U.S. territories. Congress may seek to clarify its intent for critical mineral leasing on the areas of the OCS adjacent to U.S. territories—whether BOEM should allow or restrict critical mineral leasing in these areas. Congress may consider making this clarification in light of areas off U.S. territories that have been identified as having (or are anticipated to have) potential for critical mineral resources (see "Outer Continental Shelf Areas with Potential for Critical Minerals," above) and Impossible Metals' April 2025 request to BOEM to commence a leasing process for exploration and potential development of critical minerals offshore of American Samoa. Congress could choose to restrict critical mineral leasing in these areas (e.g., for environmental protection and conservation purposes) or could direct BOEM to offer leases in these areas (e.g., to help build domestic critical mineral supply, pursuant to E.O. 13817). Alternatively, Congress could allow BOEM to determine whether to pursue any critical mineral leasing activities under current authorities.
Some industry stakeholders have expressed that the multiple public consultation periods in BOEM's regulations could contribute to delays in critical mineral development and have sought a more streamlined process with regard to consultations with states and territories and public input.128 Some of BOEM's regulatory steps involving state and territorial consultation are discretionary—BOEM or the Secretary of the Interior "may" engage in these steps but are not required to do so under the regulations. In its press release of June 25, 2025, DOI announced that it would opt not to take some of these discretionary steps, particularly those at the early stages of deciding whether to hold a lease sale (issuing an RFI and setting up a joint task force), in order to speed up the leasing process.129 DOI estimated that these changes could save "anywhere from two months to more than a year" during the lease planning stages.130 Notwithstanding the DOI announcement, for the lease sale under consideration for American Samoa, BOEM did issue an RFI; BOEM extended the comment period for the RFI through mid-August 2025 following a request from the Governor of American Samoa.131 In response to BOEM's expedited process for review of critical mineral activities on the OCS, Representative Moylan (Guam-00) stated that "accelerated timelines can unintentionally—or intentionally—sideline communities that already face structural barriers to participation."132 He proposed "formalized consultation protocols that require territorial consent, not just comment periods" for federal projects that may impact U.S. territorial islands, including their waters and communities.133 Congress could consider whether to weigh in on state and territorial input in the critical mineral leasing process through oversight or legislation, or it could continue the current framework in which BOEM's existing statutory and regulatory authorities govern consultation with states and territories.134
Jones Act and Dredge Act Applicability to Critical Mineral Leasing135The Jones Act (Section 27 of the Merchant Marine Act of 1920; P.L. 66-261) requires that waterborne transportation between "U.S. points" be conducted only by vessels built in the United States and owned and crewed by U.S. citizens.120136 The same requirement applies to dredging vessels under the Dredge Act of 1906 (P.L. 59-185). The Jones Act is applicable to U.S. states and Puerto Rico, but not to U.S. territories and possessions in the Pacific Ocean. CBP has determined that the Dredge Act is applicable to U.S. territories.121
One or both of these laws could potentially apply to various aspects of critical mineral development on the OCS, including mining activities and transportation of mined seabed material from the OCS to the U.S. mainland for processing. With regard to the latter, the United States currently "lacks domestic processing and manufacturing capabilities for some critical minerals," but some stakeholders have proposed development of domestic processing facilities.122 For example, S. 596 in the 119th Congress would direct the Secretary of Energy to establish a Domestic Critical Material Processing Pilot Program to support the processing of not fewer than three different types of critical materials, which may include seabed deposits with critical minerals.123
CBP interprets the Jones Act and the Dredge Act for vessels engaging in U.S. offshore activity. Based on itsBased on CBP's prior interpretations for vessels supporting offshore oil, gas, and wind development, the agency could find the Jones Act applicable to vessels transporting minerals from an offshore mining site to a U.S. onshore point, as well as to vessels transporting supplies to an offshore site. In a 1988 ruling, CBP found that a vessel engaging in offshore phosphorus mining off the coast of North Carolina would be considered a dredge and therefore would be required to be U.S. built, owned, and crewed.124138 Similarly, CBP determined that pipe-laying vessels that dig a trench in the seafloor to lay pipe also are dredging vessels and thus must comply with the Dredge Act.125139 However, CBP determined that cable-laying vessels are not dredge vessels because they construct only a temporary slot in the sea floor.126
CBP's working definition of dredging is "the use of a vessel equipped with excavating machinery in digging up or otherwise removing submarine material"; however, in one ruling, the agency noted an alternative definition from the International Maritime Dictionary that defines dredging as a "vessel or floating structure equipped with excavating machinery, employed in deepening channels and harbors, and removing submarine obstructions such as shoals and bars."127141 This alternative definition could exclude mining vessels, as their purpose is not to deepen channels or harbors.
Based on these prior determinations, it is not clear whether CBP would consider modern seabed mining vessels to be dredging vessels or if its interpretation would depend on the method or technology used for mining. For instance, in the oil and gas sector, drill ships are not required to comply with these acts, nor are offshore oil and gas platforms.
The domestic build requirement can substantially impact the cost and availability of vessels. U.S. offshore vessel operators typically request a letter ruling from CBP concerning whether their proposed activity would require a Jones Act- or Dredge Act-compliant vessel. However, these letter rulings do not establish legal precedent and the agency has, in the past, proposed changing its interpretation. Thus, in addition to the cost and availability of U.S.-built vessels, uncertainty as to the regulatory landscape for vessels engaging in U.S. offshore mining could be an issue for Congress. Congress could consider whether to amend the Jones Act or Dredge Act to clarify whether vessels engaging in U.S. offshore mining and related transportation are subject to or exempt from these acts.
Another potentially relevant consideration for Congress is that the United States currently "lacks domestic processing and manufacturing capabilities for some critical minerals."142 The requirement for domestic-built seabed mining vessels might be moot if companies send seabed resources recovered from the OCS to foreign countries for processing due to a lack of U.S. processing capability. However, some stakeholders have proposed development of domestic processing facilities.143 During an April 2025 hearing of the House Natural Resources Committee's Subcommittee on Oversight and Investigations, the chief executive officer for Impossible Metals argued that if the United States builds stockpiles of polymetallic nodules "in strategic locations in the [United States] where there is the infrastructure and the power, it will encourage industry to invest in building" domestic processing and refining facilities.144 S. 596 in the 119th Congress would direct the Secretary of Energy to establish a Domestic Critical Material Processing Pilot Program to support the processing of not fewer than three different types of critical materials, which may include seabed deposits with critical minerals.145 In July 2025, Impossible Metals and ReElement Technologies Corporation, a subsidiary of American Resources Corporation, signed a memorandum of understanding that describes how ReElement would use its refining capabilities to deliver copper, cobalt, nickel, manganese, and REEs from polymetallic nodules harvested by Impossible Metals.146 Until the United States has domestic processing and refining capabilities, some stakeholders have proposed that seabed minerals harvested by U.S. companies could be processed in friendly nations, such as Japan.147
Potential Marine Environmental Impacts of Seabed Mining148Congress may weigh potential environmental impacts of mining on the OCS and consider whether certain federal agencies may work toshould mitigate such impacts. For example,BOEM contends that "there is a need to identify areas that have high economic potential but low ecological value, making them potentially suitable for consideration for future leasing and development of critical minerals on the OCS."149 BOEM, in collaboration with NASEM, has been developing environmental baseline information acquisition and assessment standards for critical mineral-related activities on the OCS (see "Critical Minerals Environmental Assessment Framework"). In addition, since 2019, BOEM, NOAA, and USGS have collaborated to study the long-term environmental impacts and ecosystem recovery of an area of the Blake Plateau disturbed during a 1970s seabed mining pilot project.129150 Congress may consider whether to support additional work by federal agencies to continue research on the Blake PlataeaPlateau or other areas of the OCS that may elucidate the potential environmental impacts of seabed mining orand provide environmental baseline information. Some stakeholders may oppose federal funding to study the impacts of seabed mining, characterized by some as an "unproven industry,"130151 especially in light of the rate at which energy technologies using critical minerals are evolving. Some critical minerals, including those found in seabed deposits, may be of less interest in the future, should technologies (e.g., electric vehicle batteries) no longer require them.131
Some Members of Congress seek to address this issue in legislation. Some contend that "there is currently insufficient scientific information on the deep sea and related marine ecosystems to fully and accurately assess the risks and impacts of deep seabed mining activities" and have introduced H.R. 664 in the 119th Congress to prohibit BOEM from conducting any hardrock mineral leasing activities on the OCS.132153 Other bills in the 119th Congress would prohibit BOEM from issuing or extending a lease or any other authorization for exploration, development, or production related to marine minerals, as well as oil and gas activities, in specific areas on the Atlantic OCS (e.g., H.R. 2881, S. 1486) and Arctic OCS (e.g., H.R. 2848, S. 1445).
The potential effects of seabed mining on the marine environment remain incompletely understood.Congress may evaluate whether there is sufficient understanding of the effects of seabed mining on marine life. The potential effects of seabed mining on the marine environment are not completely understood, according to some scientists.154 This is in part because commercial-scale seabed mining in areas beyond national jurisdiction under the ISA framework has yet to occur and only a few countries have allowed or tested seabed mining within their waters (see textbox above, "Countries Pursuing Seabed Mineral Resources on Their Continental Shelves"). Some stakeholders are concerned that seabed mining activities may
155Efforts to prohibit seabed mining activities on the OCS align with other proposals (e.g., H.R. 663 in the 119th Congress) for a precautionary pause or moratorium on deep-seabed mining in international waters until there is sufficient scientific information and knowledge of the deep sea.134 156
Proponents of seabed mining that is "properly managed with appropriate governance safeguards" argue that sourcing minerals from seabed deposits has the potential to create less pollution (e.g., tailings, waste), fewer impacts on freshwater sources, and fewer social impacts (e.g., human fatalities, injuries, health effects) compared with traditional land-based open-pit and underground mining.135 Instances of terrestrial157 For example, Impossible Metals contends that its collection technology is "environmentally conscious" because its autonomous underwater vehicle hovers above the seabed to minimize sediment disturbance and uses artificial intelligence for "selective harvesting" of polymetallic nodules to avoid detected life.158 Instances of traditional land-based open-pit and underground mining have been associated with drinking water contamination, air pollution, and alteration of landscapes, among other impacts.136
1. |
30 U.S.C. §1606(a)(3); 30 U.S.C. §1606(c)(4)(A)-(C). 30 U.S.C. §1606(c)(4)(A) gives the Secretary of the Interior responsibility for identifying and maintaining a list of critical minerals. For more information, see CRS Report R47982, Critical Mineral Resources: National Policy and Critical Minerals List, by Linda R. Rowan. |
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2. |
Executive Order (E.O.) 13817 of December 20, 2017, "A Federal Strategy to Ensure Secure and Reliable Supplies of Critical Minerals," 82 Federal Register 60835, December |
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3. |
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4. |
E.O. 14154, "Unleashing American Energy," 90 Federal Register 8353, January 29, 2025. |
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E.O. 14156 of January 20, 2025, "Declaring a National Energy Emergency," 90 Federal Register 8433, January 29, 2025. |
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Energy Act of 2020, P.L. 116-260, Division Z, see especially Section 7002(b)(1)(C); 30 U.S.C. §1602(7). |
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7. |
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Most U.S. states have jurisdiction over an area extending 3 nautical miles (nmi) from their officially recognized coasts, under the Submerged Lands Act (43 U.S.C. §§1301 et seq.). Two states (Florida, along its Gulf coast, and Texas) have been held by the Supreme Court to have boundaries extending 9 nmi from shore. The Commonwealth of Puerto Rico also has jurisdiction over an area |
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Bureau of Ocean Energy Management (BOEM), Marine Minerals Program, Developing a Critical Minerals Environmental Assessment Framework (CMEAF) for Critical Mineral Activities, February 10, 2023, pp. 1-4, see p. 2. Hereinafter |
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U.S. Department of the Interior (DOI), Secretarial Order (S.O.) 3417, "Addressing the National Energy Emergency," February 3, 2025. More specifically, the order directed DOI bureaus and offices to "identify the emergency authorities available to them, as well as all other legal authorities, to facilitate the identification, permitting, leasing, development, production, transportation, refining, distribution, exporting, and generation of domestic energy resources and critical minerals including, but not limited to, on Federal lands and the Outer Continental Shelf." |
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BOEM, "Marine Minerals Program," https://www.boem.gov/sites/default/files/documents/about-boem/MMP-Mission-Vision_2.pdf. |
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BOEM, " | ||||||||||||||||||||||||||
12.
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BOEM, "Commercial Leasing for Outer Continental Shelf Minerals Offshore American Samoa-Request for Information and Interest," 90 Federal Register 32015, June 16, 2025. Hereinafter BOEM RFI, June 16, 2025. |
See slide 6 of BOEM's presentation, "Not Just Nodules—Critical Minerals on the Federal Seabed," at the National Academies Sciences, Engineering, and Medicine (NASEM) Standing Committee on Environmental Science and Assessment for Ocean Energy Management: April Meeting (April 2-3, 2024). The presentation is available at https://www.nationalacademies.org/event/42335_04-2024_standing-committee-on-environmental-science-and-assessment-for-ocean-energy-management-april-meeting. Hereinafter BOEM, "Not Just Nodules." |
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30 U.S.C. §§1401-1473. |
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U.S. Geological Survey (USGS), "U.S. Geological Survey Releases 2022 List of Critical Minerals," February 22, 2022, https://www.usgs.gov/news/national-news-release/us-geological-survey-releases-2022-list-critical-minerals |
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USGS, Mineral Commodity Summaries 2024, January 31, 2024, p. 7. |
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18. |
E.O. 14285. |
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BOEM, " | ||||||||||||||||||||||||||
20. |
"Placer Deposit," Encyclopedia of Geology (Second Edition), 2021, https://www.sciencedirect.com/topics/earth-and-planetary-sciences/placer-deposit. |
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21. |
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For example, see International Seabed Authority (ISA), "Exploration Contracts," https://www.isa.org.jm/exploration-contracts/. Hereinafter ISA, "Exploration Contracts." 19 | ||||||||||||||||||||||||||
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24. |
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Or. Rev. Stat. §196.405 (1991); S.B. 5145, 67th Leg., Reg. Sess. (Wash. 2021); A.B. 1832, 2021–2022 State Leg., Reg. Sess. (Cal. 2022); S.B. 2575, 32nd Leg., Reg. Sess. (Haw. 2024); and Office of Governor Lemanu P.S. Mauga, Exec. Order No. 006-2024: An Order Implementing a Moratorium on Deep Seabed Mining Exploration and Exploitation Activities (Am. Sam. July 24, 2024). |
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BOEM, " | ||||||||||||||||||||||||||
BOEM, " |
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BOEM, "Not Just Nodules," slide 15. |
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Ocean Policy Committee (OPC), Ocean Science and Technology Subcommittee, National Strategy for Mapping, Exploring, and Characterizing the United States Exclusive Economic Zone, June 9, 2020. The U.S. exclusive economic zone is the ocean area located generally between 3 and 200 nmi from the shoreline (White House, "Proclamation 5030: Exclusive Economic Zone of the United States of America," 48 Federal Register 10605, March 10, 1983). For more information about U.S. ocean and coastal mapping efforts, see CRS Report R47623, Frequently Asked Questions: Mapping of U.S. Ocean and Coastal Waters, coordinated by Caitlin Keating-Bitonti. |
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OPC, Ocean Science and Technology Subcommittee, National Ocean Mapping, Exploration, and Characterization (NOMEC) Council, Implementation Plan for the National Strategy for Ocean Mapping, Exploring, and Characterizing the United States Exclusive Economic Zone, January 2021 (hereinafter |
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NOMEC Council, Implementation Plan, pp. 15-16. |
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29.
Ocean Policy Committee, OST, NOMEC Council, 2024 Implementation Plan Update for the National Strategy for Ocean Mapping, Exploring, and Characterizing the United States Exclusive Economic Zone, December 2024, p. 2. Also, see Department of State, "Continental Shelf and Maritime Boundaries; Notice of Limits," 88 Federal Register 88470, December 21, 2023. |
BOEM and USGS, "America's Offshore Critical Mineral Resources," p. 5. |
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USGS, "Global Marine Mineral Resources," June 15, 2022, https://www.usgs.gov/centers/pcmsc/science/global-marine-mineral-resources. |
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For example, see |
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For example, see USGS, "Critical Minerals in the EEZ," June 5, 2020, https://www.usgs.gov/news/featured-story/critical-minerals-eez. |
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DOI Secretarial Order 3418, "Unleashing American Energy," February 3, 2025, at https://www.doi.gov/document-library/secretary-order/so-3418-unleashing-american-energy. 34.
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BOEM and USGS, "America's Offshore Critical Mineral Resources," p. 6.. 35.
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For example, see BOEM, "Marine Mineral Resource Evaluation Studies," https://www.boem.gov/marine-minerals/marine-mineral-research-studies/marine-mineral-resource-evaluation-studies. 36.
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BOEM, Budget Justifications and Performance Information Fiscal Year 2026, p. 20. 37.
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BOEM, Budget Justifications and Performance Information Fiscal Year 2025, p. 93. |
BOEM, Budget Justification and Performance Information Fiscal Year 2025, p. 92. |
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37. |
For example, see BOEM, "Marine Mineral Resource Evaluation Studies," https://www.boem.gov/marine-minerals/marine-mineral-research-studies/marine-mineral-resource-evaluation-studies. |
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38. |
BOEM, "Not Just Nodules," slide 16. |
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39. |
BOEM, Budget Justification and Performance Information Fiscal Year 2025, p. 93. |
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40. |
BOEM, Budget Justification and Performance Information Fiscal Year 2025, p. 93; and BOEM, "Seamount Benthic Mapping and Characterization for Deep-Sea Corals, Benthic Ecosystems, and Critical Minerals of the Aleutian Islands," MM-21-04, https://www.boem.gov/sites/default/files/documents/environment/environmental-studies/MM-21-04_3.pdf. |
|||||||||||||||||||||||||
41. |
BOEM, Budget Justification and Performance Information Fiscal Year 2025, p. 92. |
|||||||||||||||||||||||||
42. |
BOEM, Budget Justification and Performance Information Fiscal Year 2025, p. 94. For more information about the Clarion-Clipperton Zone, see CRS Infographic IG10053, Seabed Mining in the Clarion-Clipperton Zone, by Caitlin Keating-Bitonti, Corrie E. Clark, and Emma Kaboli. |
|||||||||||||||||||||||||
43. |
BOEM, Budget Justification and Performance Information Fiscal Year 2025, pp. 93-94. |
|||||||||||||||||||||||||
44. |
BOEM, Budget Justification and Performance Information Fiscal Year 2025, p. 93. |
|||||||||||||||||||||||||
Kathryn M. Scanlon and Douglas G. Masson, "Fe-Mn Nodule Field Indicated by GLORIA, North of the Puerto Rico Trench," Geo-Marine Letters, vol. 12 (1992), pp. 208-213. |
||||||||||||||||||||||||||
BOEM, "Scientists Explore Site of Historic Seabed Mining Equipment Testing Offshore Georgia," December 20, 2022, https://www.boem.gov/newsroom/ocean-science-news/scientists-explore-site-historic-seabed-mining-equipment-testing. Hereinafter |
||||||||||||||||||||||||||
NOAA, "Investigation of a Historic Seabed Mining Equipment Test Site on the Blake Plateau," https://oceanexplorer.noaa.gov/explorations/22seabed-mining/welcome.html. Hereinafter |
||||||||||||||||||||||||||
NOAA, "Investigation of a Historic Seabed Mining Equipment Test Site on the Blake Plateau." |
||||||||||||||||||||||||||
NOAA, "Searching for Historic Deep-Sea Mining Impacts on the Blake Plateau," November 7, 2019, https://oceanexplorer.noaa.gov/okeanos/explorations/ex1907/logs/nov7/nov7.html. Hereinafter |
||||||||||||||||||||||||||
BOEM, "Scientists Explore Site of Historic Seabed Mining." |
||||||||||||||||||||||||||
44. |
BOEM, "Critical Minerals on the Alaska OCS," https://www.boem.gov/marine-minerals/critical-minerals/critical-minerals-alaska-ocs. |
|||||||||||||||||||||||||
45. |
BOEM, "Seamount Benthic Mapping and Characterization for Deep-Sea Corals, Benthic Ecosystems, and Critical Minerals of the Aleutian Islands," MM-21-04, https://www.boem.gov/sites/default/files/documents/environment/environmental-studies/MM-21-04_3.pdf. |
|||||||||||||||||||||||||
46. |
BOEM, "Into the Unknown: BOEM Dives Deep to Explore Offshore Mineral Frontiers," July 22, 2025, https://www.boem.gov/newsroom/ocean-science-news/unknown. |
|||||||||||||||||||||||||
47. |
BOEM, "Not Just Nodules," slide 16. |
BOEM, Budget | ||||||||||||||||||||||||
52. |
DOI Secretarial Order 3418, "Unleashing American Energy," February 3, 2025, at https://www.doi.gov/document-library/secretary-order/so-3418-unleashing-american-energy. |
|||||||||||||||||||||||||
53. |
BOEM, Developing a CMEAF for Critical Mineral Activities, p. 1. |
|||||||||||||||||||||||||
49.
|
|
USGS, "USGS Leads Research Expedition to Deep-Sea Escanaba Trough," May 19, 2022, https://www.usgs.gov/centers/pcmsc/news/usgs-leads-research-expedition-deep-sea-escanaba-trough. 50.
|
|
BOEM, Budget Justifications and Performance Information Fiscal Year 2025, p. 94. For more information about the Clarion-Clipperton Zone, see CRS Infographic IG10053, Seabed Mining in the Clarion-Clipperton Zone, by Caitlin Keating-Bitonti, Corrie E. Clark, and Emma Kaboli. 51.
|
|
BOEM, "Critical Minerals on the Pacific OCS," https://www.boem.gov/marine-minerals/critical-minerals/critical-minerals-pacific-ocs. 52.
|
|
Orpheus Ocean, "News: Orpheus Ocean Advances Deep Sea Research in the Mariana Islands," July 7, 2025. 53.
|
|
Peter J. Hanlon, "Autonomous Vehicle's Search in Mariana Trench Helps Advance Understanding of Deep Sea and Its Critical Minerals," Phys.org, July 7, 2025, https://phys.org/news/2025-07-autonomous-vehicle-mariana-trench-advance.html. 54.
|
|
BOEM, Budget Justifications and Performance Information Fiscal Year 2025, p. 93. 55.
|
|
BOEM, "America's Offshore Critical Minerals," https://www.boem.gov/factsheet/americas-offshore-critical-minerals. 56.
|
|
BOEM, Developing a CMEAF for Critical Mineral Activities, p. 1. |
Knowledge of the environmental baseline condition of a proposed site for seabed mining can be used to forecast the effects of mining activities or evaluate impacts to the marine environment. BOEM, Budget |
|||||||||
BOEM, Developing a CMEAF for Critical Mineral Activities, p. 3. |
||||||||||||||||||||||||||
BOEM, Developing a CMEAF for Critical Mineral Activities, p. 3. Stakeholder groups would include nongovernmental organizations, environmental groups, industry, tribes, and other Indigenous groups. |
||||||||||||||||||||||||||
Provisions of the Outer Continental Shelf Lands Act of 1953 (OCSLA) at 43 U.S.C. §1337(k)(1) authorize the Secretary of the Interior to grant leases "of any mineral other than oil, gas, and sulphur in any area of the outer Continental Shelf not then under lease for such mineral." In 2022, P.L. 117-169, commonly known as the Inflation Reduction Act of 2022 (IRA), expanded the definition of the OCS in the OCSLA to include submerged lands offshore of U.S. territories. As of | ||||||||||||||||||||||||||
58. |
BOEM regulations pertaining to leasing for minerals other than oil, gas, and sulfur are at 30 C.F.R. Parts 580-582. Regulations elsewhere in Title 30, Subchapter B, cover leasing for oil, gas, and sulfur. |
|||||||||||||||||||||||||
59. |
BOEM briefing to CRS, March 7, 2024. |
|||||||||||||||||||||||||
60. |
30 C.F.R. Parts 580-582. |
|||||||||||||||||||||||||
61.
|
|
Regulations elsewhere in Title 30, Subchapter B, cover leasing for oil, gas, and sulfur. Also see BOEM, "Competitive Leasing of OCS Marine Minerals," at https://www.boem.gov/marine-minerals/obtaining-marine-minerals/competitive-leasing-ocs-marine-minerals. 62.
|
|
BOEM briefing to CRS, March 7, 2024. 63.
|
|
BOEM RFI, June 16, 2025. 64.
|
|
DOI, "Interior Streamlines Offshore Mineral Policies." President Trump's April 24, 2025, executive order on critical minerals (E.O. 14285) directs the Secretary of the Interior to develop an "expedited" process for reviewing and approving OCS critical mineral prospecting permits, as well as for granting leases. 65.
|
|
These procedures respond to President Trump's declaration of a national energy emergency in E.O. 14156. For more information, see DOI, "Department of the Interior Implements Emergency Permitting Procedures to Strengthen Domestic Energy Supply," press release, April 23, 2025, at https://www.doi.gov/pressreleases/department-interior-implements-emergency-permitting-procedures-strengthen-domestic. 66.
|
|
DOI, "Interior Streamlines Offshore Mineral Policies." 67.
|
|
BOEM, Budget Justifications and Performance Information Fiscal Year 2026, p. 20. 68.
|
|
30 C.F.R. Parts 580-582. |
Separate rules apply for activities undertaken for purposes of scientific research (30 C.F.R. §580.11). |
|||||||||
30 C.F.R. §§580.24, 580.40-580.52. The data generally are protected from public disclosure for specified lengths of time under BOEM regulations at 30 C.F.R. §§580.70-580.73. |
||||||||||||||||||||||||||
BOEM and USGS, "America's Offshore Critical Mineral Resources," p. 5. For further discussion of this point, see the section below on "Preferential Rights to Lease the Prospecting Area for Critical Minerals." |
||||||||||||||||||||||||||
64. |
E.O. 14285. The E.O. states that the expedited process, "consistent with applicable law, should ensure efficiency, predictability, and competitiveness for American companies." |
|||||||||||||||||||||||||
|
73.
30 C.F.R. §§581.11-581.12. |
30 C.F.R. § | ||||||||||||||||||||||||
66. |
30 C.F.R. §581.12. |
|||||||||||||||||||||||||
67. |
30 C.F.R. §581.14. |
|||||||||||||||||||||||||
68. |
30 C.F.R. §§581.18-581.21. |
|||||||||||||||||||||||||
69. |
30 C.F.R. §581.8. |
|||||||||||||||||||||||||
70. |
30 C.F.R. Part 583. |
|||||||||||||||||||||||||
74.
|
|
BOEM RFI, June 16, 2025. 75.
|
DOI, "Interior Streamlines Offshore Mineral Policies." The BOEM regulations (30 C.F.R. §581.12) state that the Secretary of the Interior "may" issue an RFI but do not require the Secretary to do so.
76.
|
|
DOI, "Interior Streamlines Offshore Mineral Policies." 77.
|
|
30 C.F.R. §581.14. 78.
|
|
30 C.F.R. §§581.18-581.21. DOI's June 25, 2025, press release (DOI, "Interior Streamlines Offshore Mineral Policies") stated that BOEM would offer "favorable lease terms" at critical mineral auctions, including "lower minimum bids and waivers for some rental fees." 79.
|
|
30 C.F.R. §581.8. 80.
|
|
30 C.F.R. Part 583. |
For example, some offshore mineral exploration and development activities could require authorizations from NOAA under Section 101(a) of the Marine Mammal Protection Act (16 U.S.C. §1371(a)(5)(A)-(E)) and Section 7 of the Endangered Species Act (16 U.S.C. §1536), or from the U.S. Army Corps of Engineers under Section 404 of the Clean Water Act (33 U.S.C. §1344) and Section 10 of the Rivers and Harbors Act of 1899 (33 U.S.C. §403). |
||||||||||||
30 C.F.R. §582.22. |
||||||||||||||||||||||||||
30 C.F.R. §583.23. |
||||||||||||||||||||||||||
30 C.F.R. §583.24. |
||||||||||||||||||||||||||
30 C.F.R. §§280-282. |
||||||||||||||||||||||||||
|
87.
BOEM has negotiated multiple noncompetitive agreements for the use of OCS sand, gravel, and shell resources in coastal restoration, beach nourishment, and construction projects, under regulations at 30 C.F.R. Part 583. |
USGS, Mineral Resource Management of the Outer Continental Shelf, Geological Survey Circular 720, 1975, p. 3; and |
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|
||||||||||||||||||||||||||
Anthony C. Giordano, "A Case Study of the Norton Sound Alaska Marine Mineral Lease Sale Process," in Proceedings of the 1991 Exclusive Economic Zone Symposium on Mapping and Research: Working Together in the Pacific EEZ, eds. Millington Lockwood and Bonnie A. McGregor (Portland, OR: United States Government Printing Office, 1992), pp. 72-76. |
||||||||||||||||||||||||||
Anthony C. Giordano, "A Case Study of the Norton Sound Alaska Marine Mineral Lease Sale Process." | ||||||||||||||||||||||||||
80. |
Anthony C. Giordano, "A Case Study of the Norton Sound Alaska Marine Mineral Lease Sale Process." |
|||||||||||||||||||||||||
81. |
Anthony C. Giordano, "A Case Study of the Norton Sound Alaska Marine Mineral Lease Sale Process." Two pending legal actions requesting a preliminary injunction were before the U.S. District Court for the District of Alaska related to the 1991 proposed sale (Nome Eskimo Community and others v. Lujan). |
|||||||||||||||||||||||||
USGS, "2022 List of Critical Minerals." |
||||||||||||||||||||||||||
Email correspondence from BOEM to CRS, February 25, 2025; and remarks of Oliver Gunasakera, CEO and Co-Founder, Impossible Metals, in U.S. Congress, House Committee on Natural Resources, Subcommittee on Oversight and Investigations, Exploring the Potential of Deep-Sea Mining to Expand American Mineral Production, hearing, 119th |
||||||||||||||||||||||||||
Email correspondence from BOEM to CRS, February 25, 2025. |
||||||||||||||||||||||||||
Email correspondence from BOEM to CRS, February 25, 2025. |
||||||||||||||||||||||||||
Office of the Governor of American Samoa, Executive Order 006-2024, "An Order Implementing a Moratorium on Deep Seabed Mining Exploration and Exploitation Activities," July 24, 2024, https://www.americansamoa.gov/_files/ugd/4bfff9_cea25f51dcb84d0bbe5bbac7db513477.pdf. |
||||||||||||||||||||||||||
Government of American Samoa, "Governor & Lt. Governor," https://www.americansamoa.gov/biographies. |
||||||||||||||||||||||||||
Remarks of Oliver Gunasakera, CEO and Co-Founder, Impossible Metals, in Exploring the Potential of Deep-Sea Mining to Expand American Mineral Production, hearing. |
||||||||||||||||||||||||||
89. |
| |||||||||||||||||||||||||
90. |
30 C.F.R. §581.11(b). |
|||||||||||||||||||||||||
99.
|
|
BOEM RFI, June 16, 2025. 100.
|
|
BOEM, "Commercial Leasing for Outer Continental Shelf Minerals Offshore American Samoa-Request for Information and Interest; Extension of Comment Period," 90 Federal Register 25369, July 16, 2025. Also see BOEM, "BOEM Extends Public Comment Period on Request for Information and Interest on Potential Minerals Lease Sale Offshore American Samoa," press release, July 15, 2025, at https://www.boem.gov/newsroom/press-releases/boem-extends-public-comment-period-request-information-and-interest. Hereinafter BOEM press release, July 15, 2025. 101.
|
|
Government of American Samoa, "Leadership United: Governor and Lieutenant Governor Lead Unified Effort on Seabed Mining," June 23, 2025, https://www.americansamoa.gov/leadershipunited. |
For example, see The Ocean Foundation, Deep Sea Mining Isn't Worth the Risk: High Costs, Finance Developments Since 2021, and Externalities Stand to Diminish Theoretical Returns on Investment, 2024, p. 4. Hereinafter |
|||||||||||||||||||
For example, see Letter from U.S. Representatives Grijalva, Case, Tlaib, Huffman, Norton, McCollum, Cohen, Lofgren, Jackson, Kamlager-Dove, Garcia, and Jayapal to President Biden, June 28, 2024, https://plus.cq.com/pdf/8043575. Hereinafter |
||||||||||||||||||||||||||
Explanatory statement for P.L. 118-42, Consolidated Appropriations Act, 2024, Congressional Record, vol. 170, no. 39 (March 5, 2024), p. S1810; and BOEM, Budget Justifications and Performance Information Fiscal Year 2026, p. 19.
| ||||||||||||||||||||||||||
94. |
|
|||||||||||||||||||||||||
95. |
Email correspondence from BOEM to CRS, August 15, 2024. |
|||||||||||||||||||||||||
Email correspondence from BOEM to CRS, August 15, 2024; and BOEM, "Marine Minerals Story Map," p. 6. |
||||||||||||||||||||||||||
U.S. Office of Management and Budget and U.S. Office of Personal Management, Guidance on Agency RIF and Reorganization Plans Requested by Implementing the President's "Department of Government Efficiency" Workforce Optimization Initiative, memorandum, February 26, 2025. Also see Eric Katz, "Interior Department Offers Buyouts, Early Outs to Staff as it Looks to Build Housing on Federal Lands," Government Executive, March 17, 2025, https://www.govexec.com/pay-benefits/2025/03/interior-department-offers-buyouts-early-outs-staff-it-looks-build-housing-federal-lands/403823/. |
||||||||||||||||||||||||||
98. |
|
|||||||||||||||||||||||||
|
||||||||||||||||||||||||||
100. |
E.O. 14285. |
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For example, see NOAA, "Chapter Four: Why Map the Seafloor? To Keep Us—and Natural Resources—Safe," https://oceanexplorer.noaa.gov/world-oceans-day-2015/why-map-the-seafloor-to-keep-us-and-natural-resources-safe.html; and USGS, "Deep Sea Exploration, Mapping and Characterization," https://www.usgs.gov/special-topics/deep-sea-exploration%2C-mapping-and-characterization. |
||||||||||||||||||||||||||
30 U.S.C. §1902. |
||||||||||||||||||||||||||
BOEM, "Not Just Nodules," slide 21. 30 U.S.C. §1904. |
||||||||||||||||||||||||||
30 U.S.C. §1903(a). |
||||||||||||||||||||||||||
BOEM, "Not Just Nodules," slide 21. |
||||||||||||||||||||||||||
30 U.S.C. §1904(d)(4). |
||||||||||||||||||||||||||
BOEM, "Not Just Nodules," slide 23. |
||||||||||||||||||||||||||
BOEM and USGS, "America's Offshore Critical Mineral Resources," p. 5. An exception to the permit requirement would be for prospecting conducted by an existing leaseholder in an already leased area. |
||||||||||||||||||||||||||
The |
||||||||||||||||||||||||||
110. |
30 C.F.R. Part 551. For both oil and gas geological and geophysical exploration and critical mineral prospecting, the regulations separately provide for existing leaseholders to conduct these exploratory activities in lease areas they already hold, in which case the lessee would have exclusive development rights on its own lease. |
|||||||||||||||||||||||||
|
120.
NOAA, "Deep Seabed Mining: Revisions to Regulations for Exploration License and Commercial Recovery Permit Applications," 90 Federal Register 29806, July 7, 2025. |
BOEM and USGS, "America's Offshore Critical Mineral Resources," p. 5. |
||||||||||||||||||||||||
30 C.F.R. Part 580, Subpart B. |
||||||||||||||||||||||||||
BOEM regulations require that prospecting companies share the geological data they obtain with BOEM, but the agency keeps the data confidential for specified periods of time (30 C.F.R. §§580.70-580.73). |
||||||||||||||||||||||||||
114. |
43 U.S.C. §1331(a). As amended, the act states: "The term 'outer Continental Shelf' means—(1) all submerged lands lying seaward and outside of the area of lands beneath navigable waters as defined in Section 1301 of this title, and of which the subsoil and seabed appertain to the United States and are subject to its jurisdiction and control or within the exclusive economic zone of the United States and adjacent to any territory of the United States; and (2) does not include any area conveyed by Congress to a territorial government for administration." |
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115. |
43 U.S.C. §1331. |
|||||||||||||||||||||||||
116. |
43 U.S.C. §1337(k)(1). |
|||||||||||||||||||||||||
117. |
30 C.F.R. §581.3. |
|||||||||||||||||||||||||
118. |
43 U.S.C. §§1344(i), 1356c. |
|||||||||||||||||||||||||
119. |
This section was authored by John Frittelli, CRS Specialist in Transportation Policy. |
|||||||||||||||||||||||||
|
BOEM's regulations at 30 C.F.R. §§580-582 refer to "states." OCSLA at 43 U.S.C. §1331(r) defines the term "state" to include the Commonwealth of Puerto Rico, Guam, American Samoa, the U.S. Virgin Islands, and the Commonwealth of the Northern Mariana Islands. 124.
|
|
30 C.F.R. §§581.12-581.13. Also see footnote 123. 125.
|
|
30 C.F.R. §581.16. Also see footnote 123. 126.
|
|
30 C.F.R. §582.4. Also see footnote 123. 127.
|
|
For more information, see CRS Report R45460, Coastal Zone Management Act (CZMA): Overview and Issues for Congress, by Eva Lipiec. 128.
|
|
See, for example, remarks of Oliver Gunasakera, CEO and Co-Founder, Impossible Metals, in Exploring the Potential of Deep-Sea Mining to Expand American Mineral Production, hearing. 129.
|
|
DOI, "Interior Streamlines Offshore Mineral Policies." 130.
|
|
Ibid. 131.
|
|
BOEM press release, July 15, 2025. 132.
|
|
Walter Ulloa, "Delegate demanding territorial consent before seabed mining," Guam Daily Post, August 13, 2025, https://www.postguam.com/news/local/delegate-demanding-territorial-consent-before-seabed-mining/article_9394a808-cf37-4a98-bfea-131b792b0267.html. Hereinafter Walter Ulloa, "Delegate demanding territorial consent before seabed mining." 133.
|
|
Walter Ulloa, "Delegate demanding territorial consent before seabed mining." Discussion of political status issues concerning U.S. territories is beyond the scope of this report. For additional discussion of territorial political status, see, for example, CRS In Focus IF11792, Statehood Process and Political Status of U.S. Territories: Brief Policy Background, by R. Sam Garrett. 134.
|
|
For example, provisions of the OCSLA at 43 U.S.C. §1344, which are specific to oil and gas leasing, address state input when scheduling oil and gas lease sales. For more information, see CRS Report R44504, Five-Year Offshore Oil and Gas Leasing Program: History and Background, by Laura B. Comay and Adam Vann. 135.
|
|
This section was authored by John Frittelli, CRS Specialist in Transportation Policy. |
Some seabed mining operations require two vessels: a production support vessel and a transport vessel. For more information on the Jones Act, see CRS Report R45725, Shipping Under the Jones Act: Legislative and Regulatory Background, by John Frittelli. |
Department of Homeland Security (DHS), U.S. Customs and Border Protection (CBP), "Application of the Dredge Statute (46 U.S.C. App. 292) to Dredging in American Samoa," Customs Ruling HQ 111878, September 4, 1991; and DHS, CBP, "Dredging; 46 U.S.C. §55109," Customs Ruling HQ H327270, November 14, 2022. Customs rulings can be accessed at https://rulings.cbp.gov/home. |
||||||||||||||||||||||||||
|
DHS, CBP, "Applicability of 46 U.S.C. App. 292 and 833 to the Exploration for, or the Extraction of, Resources from the Outer Continental Shelf Outside the United States Territorial Waters," Customs Ruling HQ 109081, May 12, 1988. BOEM found no records of a phosphate lease or of a company mining phosphate in or around 1988. BOEM interprets the CBP ruling as "not referencing an active lease, but rather as presenting a hypothetical situation" (Email correspondence from BOEM to CRS, November 1, 2024). 139.
|
|
DHS, CBP, "46 U.S.C. §55109; 43 U.S.C. §1333(a); Dredging, Outer Continental Shelf Lands Act; 43 U.S.C. §1333(a)(1)," Customs Ruling HQ H253621, August 14, 2014. 140.
|
|
DHS, CBP, "Coastwise Transportation; Undersea Cable Laying; Dredging; 46 U.S.C. §55102; 46 U.S.C. §55109; 19 C.F.R. §4.80b," Customs Ruling HQ H332364, July 25, 2023. 141.
|
|
DHS, CBP, "Dredging; 46 U.S.C. §55109," Customs Ruling HQ H327270, November 14, 2022. |
U.S. Department of Commerce, A Federal Strategy to Ensure Secure and Reliable Supplies of Critical Minerals, June 4, 2019, https://www.commerce.gov/sites/default/files/2020-01/Critical_Minerals_Strategy_Final.pdf. |
||||||||||||||||||
|
145.
Remarks of Oliver Gunasakera, CEO and Co-Founder, Impossible Metals, in Exploring the Potential of Deep-Sea Mining to Expand American Mineral Production, hearing. |
In the 118th Congress, H.R. 7636 would have instructed the President to direct certain federal departments to "coordinate and expedite across Federal agencies the development of infrastructure to process and refine seafloor [polymetallic] nodules within the United States." |
||||||||||||||||||||||||
124. |
DHS, CBP, "Applicability of 46 U.S.C. App. 292 and 833 to the Exploration for, or the Extraction of, Resources from the Outer Continental Shelf Outside the United States Territorial Waters," Customs Ruling HQ 109081, May 12, 1988. BOEM found no records of a phosphate lease or of a company mining phosphate in or around 1988. BOEM interprets the CBP ruling as "not referencing an active lease, but rather as presenting a hypothetical situation" (Email correspondence from BOEM to CRS, November 1, 2024). |
|||||||||||||||||||||||||
125. |
DHS, CBP, "46 U.S.C. §55109; 43 U.S.C. §1333(a); Dredging, Outer Continental Shelf Lands Act; 43 U.S.C. §1333(a)(1)," Customs Ruling HQ H253621, August 14, 2014. |
|||||||||||||||||||||||||
126. |
DHS, CBP, "Coastwise Transportation; Undersea Cable Laying; Dredging; 46 U.S.C. §55102; 46 U.S.C. §55109; 19 C.F.R. §4.80b," Customs Ruling HQ H332364, July 25, 2023. |
|||||||||||||||||||||||||
127. |
DHS, CBP, "Dredging; 46 U.S.C. §55109," Customs Ruling HQ H327270, November 14, 2022. |
|||||||||||||||||||||||||
147.
|
|
For example, see TMC, "World First: TMC and PAMCO Achieve Breakthrough in Commercial-Scale Processing of Polymetallic Nodules, Successfully Producing Calcine," September 9, 2024, https://investors.metals.co/news-releases/news-release-details/world-first-tmc-and-pamco-achieve-breakthrough-commercial-scale; and TMC, "World First: TMC and PAMCO Achieve a New Nodule Processing Milestone, Unlocking Critical Energy & Steelmaking Materials at Existing Facilities," February 18, 2025, https://investors.metals.co/news-releases/news-release-details/world-first-tmc-and-pamco-achieve-new-nodule-processing. |
For more information about the potential marine environmental impacts of seabed mining that may be applicable to mining activities on the OCS, see CRS Report R47324, Seabed Mining in Areas Beyond National Jurisdiction: Issues for Congress, by Caitlin Keating-Bitonti, especially the section "Potential Marine Environmental Impacts of Seabed Mining." |
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150.
BOEM, Budget Justifications and Performance Information Fiscal Year 2026, p. 21. |
BOEM, "Scientists Explore Site of Historic Seabed Mining;" NOAA, "Investigation of a Historic Seabed Mining Equipment Test Site on the Blake Plateau;" and NOAA, "Searching for Historic Deep-Sea Mining Impacts on the Blake Plateau." |
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The Ocean Foundation, Deep Sea Mining Isn't Worth the Risk. |
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For example, Casey Crownhart, "How Sodium Could Change the Game for Batteries," MIT Technology Reviews, May 11, 2023, https://www.technologyreview.com/2023/05/11/1072865/how-sodium-could-change-the-game-for-batteries/; and Tom LaTourrette et al., The Potential Impact of Seabed Mining on Critical Mineral Supply Chains and Global Geopolitics, RAND, 2025, p. 14.
153 | ||||||||||||||||||||||||||
See Section 2(6) of H.R. 664 in the 119th Congress. |
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155.
BOEM, Budget Justifications and Performance Information Fiscal Year 2026, p. 21. |
For example, see Diva Amon et al., "Assessment of Scientific Gaps Related to the Effective Environmental Management of Deep-Sea Mining," Marine Policy, vol. 138 (2022), pp. 1-22; Daniel O. B. Jones et al., "Long-Term Impact and Biological Recovery in a Deep-Sea Mining Track," Nature (2025), pp. 1-7; Lisa Levin et al., "Defining 'Serious Harm' to the Marine Environment in the Context of Deep-Seabed Mining," Marine Policy, vol. 74 (2016), pp. 245-259; Kathryn Miller et al., "Challenging the Need for Deep Seabed Mining from the Perspective of Metal Demand, Biodiversity, Ecosystem Services, and Benefit Sharing," Frontiers in Marine Science, vol. 8 (July 2021), pp. 1-7, see p. 4; Holly Niner et al., "Deep-Sea Mining with No Net Loss of Biodiversity—An Impossible Aim," Frontiers in Marine Science, vol. 5 (2018); Beth Orcutt et al., "Impacts of Deep-Sea Mining on Microbial Ecosystem Services," Limnology and Oceanography, vol. 17, no. 7 (2020), pp. 1489-1510; and Rahul Sharma, "Environmental Issues of Deep-Sea Mining," Procedia Earth and Planetary Science, vol. 11 (2015), pp. 204-211. |
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As of |
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For example, Daina Paulikas et al., "Life Cycle Climate Change Impacts of Producing Battery Metals from Land Ores versus Deep-Sea Polymetallic Nodules," Journal of Cleaner Production, vol. 275 (2020), p. 17. |
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For example, Aboka Yaw Emmanuel et al., "Review of Environmental and Health Impacts of Mining in Ghana," Journal of Health and Pollution, vol. 8 (2018), pp. 43-52. |