Navy Nuclear Aircraft Carrier (CVN)
Homeporting at Mayport: Background and
Issues for Congress

Ronald O'Rourke
Specialist in Naval Affairs
September 23, 2009
Congressional Research Service
7-5700
www.crs.gov
R40248
CRS Report for Congress
P
repared for Members and Committees of Congress

Navy Nuclear Aircraft Carrier (CVN) Homeporting at Mayport

Summary
On January 14, 2009, the Navy announced that it wants to transfer one of its nuclear-powered
aircraft carriers (CVNs) to the Navy home port at Mayport, FL, known formally as Naval Station
(NAVSTA) Mayport. On April 10, 2009, the Department of Defense (DOD) announced that it had
decided to delay a final decision on whether to propose transferring a CVN to Mayport until it
reviews the issue as part of its 2009-2010 Quadrennial Defense Review (QDR). The Navy’s
proposed FY2010 budget requests $46.3 million in Military Construction (MilCon) funding for
channel dredging at Mayport. DOD states that it “intends to dredge the Mayport channel in fiscal
2010 to allow the Navy port to dock a nuclear-powered aircraft carrier. This action would provide
an alternative port for a carrier on the East Coast if a manmade or natural disaster or other
emergency closes the Navy’s base in Norfolk, Va., or the surrounding sea approaches. The
dredging of the Mayport channel will support any future decisions to permanently homeport a
nuclear-powered aircraft carrier.”
The Navy’s desire to transfer a CVN to Mayport is an issue of interest to some Members of
Congress. Many observers expect that transferring a CVN to Mayport would result in a CVN
being transferred out of Norfolk, known formally as NAVSTA Norfolk. Transferring a CVN from
Norfolk to Mayport would shift from Norfolk to Mayport the local economic activity associated
with homeporting a CVN, which some sources estimate as being worth hundreds of millions of
dollars per year to the economy of the home port area. Transferring a CVN to Mayport would
require congressional approval of MilCon funding for dredging and construction work to make
Mayport capable of homeporting a CVN.
The Navy states that a key reason it wants to transfer a CVN to Mayport is to hedge against the
risk of a catastrophic event that could damage the Navy’s CVN homeporting facilities at Norfolk,
VA, and nearby Newport News, VA. All CVNs based on the Atlantic Coast are currently
homeported at Norfolk and Newport News. Since a key reason the Navy wants to transfer a CVN
to Mayport is to hedge against the risk of a catastrophic event that could damage the Navy’s CVN
homeporting facilities in Virginia, potential questions for Congress to consider include the
following:
• What is the risk of a catastrophic event damaging Atlantic Coast CVN
homeporting facilities, and how might that risk be altered by homeporting a CVN
at Mayport?
• If a catastrophic event were to damage Atlantic Coast CVN homeporting
facilities, what would be the operational impact on the Navy, and how quickly
could the Navy repair the damage and return to normal operations?
• Are the costs associated with homeporting a CVN at Mayport worth the benefits
in terms of hedging against the risk of a catastrophic event damaging Atlantic
Coast CVN homeporting facilities?
In assessing these and other questions relating to the Navy’s desire to transfer a CVN to Mayport,
Congress may consider several specific issues, including the following: the projected size of the
Navy and its allocation between the Pacific and Atlantic Fleets; recurring and nonrecurring costs
for homeporting a CVN at Mayport; transit times from Norfolk and Mayport to key destinations;
the vulnerability of Norfolk and Mayport to natural and man-made catastrophes; other factors that
might differentiate Norfolk and Mayport; the Final Environmental Impact Statement (FEIS) on
Mayport homeporting options; potential options for Mayport homeporting other than those
studied in the FEIS, and alternative uses of the funding that would be required for homeporting a
CVN at Mayport.

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Navy Nuclear Aircraft Carrier (CVN) Homeporting at Mayport

Contents
Introduction ................................................................................................................................ 1
Background ................................................................................................................................ 3
The Navy’s Aircraft Carrier Force ......................................................................................... 3
Navy Home Ports.................................................................................................................. 3
CVN Home Ports ............................................................................................................ 3
Home Ports For Other Ship Types ................................................................................... 4
Norfolk and Mayport ...................................................................................................... 5
Navy Announcement in January 2009 Record of Decision (ROD) ......................................... 6
Analyses Informing Navy Desire to Transfer a CVN to Mayport ........................................... 7
Strategic Laydown Analysis ............................................................................................ 8
Final Environmental Impact Statement (FEIS)................................................................. 8
Nonrecurring and Recurring Costs .................................................................................. 9
Navy Summary of Its Comparison of Mayport and Norfolk................................................... 9
Local Economic Value of Homeporting a CVN ................................................................... 10
Issues for Congress ................................................................................................................... 12
Strategic Laydown Analysis ................................................................................................ 12
Nonrecurring and Recurring Costs ...................................................................................... 13
Transit Times ...................................................................................................................... 13
Port Vulnerability................................................................................................................ 14
Natural Disaster ............................................................................................................ 14
Man-Made Disaster....................................................................................................... 15
Other Factors That Might Differentiate Norfolk and Mayport .............................................. 16
Final Environmental Impact Statement (FEIS)..................................................................... 16
Mayport Homeporting Options Other Than Those Studied .................................................. 17
Alternative Uses of Funding................................................................................................ 17
Legislative Activity for FY2010 ................................................................................................ 17
FY2010 Military Construction Funding Request.................................................................. 17
FY2010 Defense Authorization Bill (H.R. 2647/S. 1390) .................................................... 17
House ........................................................................................................................... 17
Senate ........................................................................................................................... 19
FY2010 Military Construction and Veterans Affairs Appropriations Bill (H.R. 3082/S.
1407) ............................................................................................................................... 20
House ........................................................................................................................... 20
Senate ........................................................................................................................... 20

Figures
Figure C-1. Navy Briefing Slide on Relative Hurricane Risk ..................................................... 31

Tables
Table 1. Current CVN Home Ports .............................................................................................. 4
Table 2. Home Ports for Other Navy Ships .................................................................................. 5
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Table 3. Navy Table Comparing Mayport and Norfolk............................................................... 10
Table 4. Transit Times To Key Destinations............................................................................... 14

Appendixes
Appendix A. Prior-Year Legislative Activity.............................................................................. 21
Appendix B. Excerpts from January 2009 Navy Record of Decision (ROD) .............................. 24
Appendix C. Navy Data on Hurricane Risk ............................................................................... 30
Appendix D. Executive Summary of Paper From Senator Webb’s Office................................... 36
Appendix E. Statement From Representative Crenshaw............................................................. 38

Contacts
Author Contact Information ...................................................................................................... 39

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Introduction
On January 14, 2009, the Navy announced that it wants to transfer one of its nuclear-powered
aircraft carriers (CVNs) to the Navy home port at Mayport, FL, known formally as Naval Station
(NAVSTA) Mayport. Mayport is located in northeast Florida, on the Atlantic Coast, near
Jacksonville. On April 10, 2009, the Department of Defense (DOD) announced that it had
decided to delay a final decision on whether to propose transferring a CVN to Mayport until it
reviews the issue as part of its 2009-2010 Quadrennial Defense Review (QDR).
The Navy’s proposed FY2010 budget requests $46.3 million in Military Construction (MilCon)
funding for channel dredging at Mayport. DOD states that it “intends to dredge the Mayport
channel in fiscal 2010 to allow the Navy port to dock a nuclear-powered aircraft carrier. This
action would provide an alternative port for a carrier on the East Coast if a manmade or natural
disaster or other emergency closes the Navy’s base in Norfolk, Va., or the surrounding sea
approaches. The dredging of the Mayport channel will support any future decisions to
permanently homeport a nuclear-powered aircraft carrier.”1
The Navy states that a key reason it wants to transfer a CVN to Mayport is to hedge against the
risk of a catastrophic event that could damage the Navy’s CVN homeporting facilities at Norfolk,
VA, and nearby Newport News, VA. All CVNs based on the Atlantic Coast are currently
homeported at Norfolk and Newport News.
The Navy’s desire to transfer a CVN to Mayport has become an issue of interest to some
Members of Congress, particularly certain Members from Florida and Virginia. Many observers
expect that transferring a CVN to Mayport would result in a CVN being transferred out of
Norfolk, known formally as NAVSTA Norfolk.2 Transferring a CVN from Norfolk to Mayport3
would shift from Norfolk to Mayport the local economic activity associated with homeporting a
CVN, which some sources estimate as being worth hundreds of millions of dollars per year to the
economy of the home port area.
Transferring a CVN to Mayport would require congressional approval of $456 million in MilCon
funding for dredging, infrastructure improvements, wharf improvements, and construction of
CVN nuclear propulsion plant maintenance facilities. Transferring a CVN to Mayport would also
involve a one-time maintenance cost of $85 million and $24 million in personnel change of
station (PCS) costs.
Under the Navy’s original schedule, if Congress were to approve the funding needed to transfer a
CVN to Mayport, the ship could be transferred to Mayport as early as 2014. This “as early as”

1 DOD News Release No. 233-09 of April 10, 2009, entitled “Quadrennial Defense Review To Determine Aircraft
Carrier Homeporting In Mayport,” available online at http://www.defenselink.mil/releases/release.aspx?releaseid=
12600.
2 The Navy has not identified which specific CVN it would transfer, and a CVN transferred to Mayport could come
from any of the Navy’s current CVN home ports. Many observers, however, expect that the Navy would either transfer
a CVN directly from Norfolk to Mayport, or transfer a CVN from Norfolk to a home port other than Mayport while
also transferring a CVN from a home port other than Norfolk to Mayport. In either case, Mayport would gain a CVN
while Norfolk would lose one.
3 For purposes of convenience, this CRS report uses the phrase “transferring a CVN from Norfolk to Mayport,” even
though the CVN that would be transferred to Mayport may not be the same CVN that would be transferred out of
Norfolk.
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date, however, may have been pushed back by DOD’s announcement to delay a final decision on
whether to propose transferring a CVN to Mayport until it reviews the issue as part of its 2009-
2010 Quadrennial Defense Review (QDR).
The Navy’s desire to transfer a CVN to Mayport was announced during the final days of the
George W. Bush administration. Obama administration officials testified in January 2009 that
they would review the issue.4 A Navy official testified on March 25, 2009, that “The Chief of
Naval Operations and the Secretary of Defense have been talking about this issue, and it’s under
discussion and deliberation right now as to whether or—what is the best decision. And no
decision’s really been made at this point yet as to whether it should be done or not.”5 The April
10, 2009, DOD news release about DOD’s review of the Navy’s decision stated:
The Department of Defense (DoD) announced today that the final decision on whether to
permanently homeport an aircraft carrier in Mayport, Fla., will be made during the 2010
Quadrennial Defense Review (QDR). The QDR will assess the need for carrier strategic

4 Secretary of Defense Robert Gates testified on January 27, 2009, that both he and the new Secretary of the Navy
would review the issue; and William J. Lynn III, the Deputy Secretary of Defense, made a similar commitment in
testimony at his confirmation hearing on January 15, 2009.
At a January 27, 2009, hearing before the House Armed Services Committee, Representative J. Randy Forbes of
Virginia stated the following to Secretary Gates:
As to the decision to move a carrier from Norfolk to Mayport, Admiral Robert Thomas, the director
of Navy strategy and policy decision, who wrote the strategic disbursal analysis that was used as
the primary basis of making that recommendation has specifically stated that no one, not you, not
the secretary of the Navy, no one asked him to quantify the probability of risk that something
would happen that would justify having to move that carrier down there.
And my question is don't you feel that it’s a critical aspect of making those kind of decisions when
we are setting our priorities today to at least ask the question about the probability of risk that we're
trying to avoid. And if we're not asking those kind of questions, how do we have much confidence
that we're making the proper allocations when we have such limited resources?
Secretary Gates replied:
I think that asking for an evaluation of the risk is certainly legitimate. I do know we have two home
ports for aircraft carriers on the West Coast. I do worry about everything being concentrated in one
on the East Coast which does receive a lot of hurricanes.
We had an aircraft carrier in Mayport until the John F. Kennedy was decommissioned. But I am
absolutely confident that this issue—first of all, it’s six or seven years in the offing—and I am
absolutely confident that this issue and the kinds of questions you're asking are certainly to be
reviewed by a new Navy secretary. And I will review them as well.
At a January 15, 2009, hearing before the Senate Armed Services Committee to consider the nominations of
Lynn and three other people nominated for senior Department of Defense (DOD) positions, Senator Jim
Webb of Virginia raised the issue of homeporting a CVN at Mayport and asked Lynn for “a commitment to
examine this at the OSD level” and again “for your commitments, take a look at this at the OSD level, in
terms of strategy and budget priorities.” Mr. Lynn replied: “Senator, you—we’re going to have to look at the
entire Navy program as well as the other services. As you said, this is a major budget item. I will commit to
you that we will review it and we will consult with you and Congress about where we think we need to go on
this program.”
Source: Transcripts of hearings.
5 Transcript of spoken testimony of Rear Admiral Philip Cullom, Director, Fleet Readiness Division, Deputy Chief of
Naval Operations for Fleet Readiness and Logistics, at a March 25, 2009, hearing on the readiness and sustainment of
the Navy’s surface fleet before the Readiness subcommittee of the House Armed Services Committee. Cullom made
this statement in response to a question about the Mayport homeporting issue from Representative Glenn Nye. Upon
hearing Cullom’s statement, Representative Nye stated: “OK, so if I understand your question correctly, this issue is
still under review and no final decision has been put forth.” Cullom responded: “Yes, sir. That’s correct.”
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dispersal in the broad context of future threats, future Navy force structure, and likely cost
effectiveness.
The DoD intends to dredge the Mayport channel in fiscal 2010 to allow the Navy port to
dock a nuclear-powered aircraft carrier. This action would provide an alternative port for a
carrier on the East Coast if a manmade or natural disaster or other emergency closes the
Navy’s base in Norfolk, Va., or the surrounding sea approaches.
The dredging of the Mayport channel will support any future decisions to permanently
homeport a nuclear-powered aircraft carrier. Additional work to permanently homeport a
carrier would include follow-on wharf improvements, infrastructure upgrades for nuclear
propulsion plant maintenance facilities, as well as any changes needed to comply with the
National Environmental Policy Act. The DoD will carefully review these potential costs and
will assess the potential benefits associated with an additional homeport on the East Coast
before committing to any future direction.6
The issue for the 111th Congress is how to respond to the Navy’s January announcement of its
desire to transfer a CVN to Mayport, and to DOD’s April announcement of its decision to review
the issue as part of the 2009-2010 QDR. Congress’ decision on the issue could affect Navy
capabilities and funding requirements, and the local economies of Mayport and Norfolk.
Background
The Navy’s Aircraft Carrier Force
The Navy operates 11 aircraft carriers, all of them nuclear powered. The Navy since the 1960s
has been replacing its older conventionally powered carriers (CVs) as they have retired with new
CVNs. The Navy achieved an all-CVN carrier force on January 31, 2009, with the retirement of
its last operational CV, the Kitty Hawk (CV-63). Prior to being decommissioned, the Kitty Hawk
operated in the Pacific Fleet and was homeported in Yokosuka, Japan.7 The last operational CV in
the Atlantic Fleet was the John F. Kennedy (CV-67), which was decommissioned on August 1,
2007. Prior to being decommissioned, the Kennedy was homeported at Mayport.
Navy Home Ports
CVN Home Ports
Table 1 shows home ports for the Navy’s 11 CVNs as of early-February 2009.


6 DOD News Release No. 233-09 of April 10, 2009, entitled “Quadrennial Defense Review To Determine Aircraft
Carrier Homeporting In Mayport,” available online at http://www.defenselink.mil/releases/release.aspx?releaseid=
12600.
7Although the Navy states that the CVN based at Yokosuka is forward deployed to Yokosuka, the ship is commonly
referred to as being homeported or forward-homeported there. The Navy includes Yokosuka on lists of Navy home
ports, and does not show an alternate U.S. location as the home port of the ship.
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Table 1. Current CVN Home Ports
Number of CVNs
Location
homeported
Atlantic home ports
Norfolk, VA
5
Newport News, VA
1a
Pacific home ports
San Diego, CA
2
Everett, WA
1
Bremerton, WA
1
Yokosuka, Japan
1b
Source: E-mail from Navy Office of Legislative Affairs to CRS, February 5, 2009.
a. The CVN based at Newport News, VA, is homeported there because it is undergoing a mid-life refueling
complex overhaul (RCOH) at the Northrop Grumman Newport News (NGNN) shipyard. The Navy
currently is in the midst of a multiyear plan to perform several CVN RCOHs in serial fashion at NGNN.
CVNs from both the Atlantic Fleet and Pacific fleet are having their RCOHs performed at NGNN. The
carrier currently homeported at Newport News is scheduled to be transferred to San Diego, CA, fol owing
the completion of its RCOH. The next CVN in line for an RCOH will then be transferred to Newport
News.
b. Although the Navy states that the CVN based at Yokosuka is forward deployed to Yokosuka, the ship is
commonly referred to as being homeported or forward-homeported there. The Navy includes Yokosuka
on lists of Navy home ports, and does not show an alternate U.S. location as the home port of the ship.
Norfolk and Newport News are located about 6 or 7 nautical miles from one another (depending
on the exact points used to measure the distance),8 on opposite sides of the James River/Hampton
Roads waterway that leads to the southern end of the Chesapeake Bay and the Atlantic Ocean.
The CVN based at Newport News, VA, is homeported there because it is undergoing a mid-life
refueling complex overhaul (RCOH) at the Northrop Grumman Newport News (NGNN)
shipyard.9
Everett and Bremerton are located about 32 nautical miles from one another,10 on opposite sides
of Puget Sound, which leads to the Pacific Ocean.
Home Ports For Other Ship Types
Table 2 shows Atlantic and Pacific Fleet home ports for other types of Navy ships as of early-
February 2009.

8 This is the straight-line distance measured from maps.
9 The Navy currently is in the midst of a multiyear plan to perform several CVN RCOHs in serial fashion at NGNN.
CVNs from both the Atlantic Fleet and the Pacific Fleet are having their RCOHs performed at NGNN. The carrier
currently homeported at Newport News is scheduled to be transferred to San Diego, CA, following the completion of
its RCOH. The next CVN in line for an RCOH will then be transferred to Newport News.
10 This is the straight-line distance between the two locations, as calculated by the “How Fair Is It?” online distance
calculator available at http://www.indo.com/cgi-bin/dist.
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Table 2. Home Ports for Other Navy Ships
No. of home
No. of ships
port
Ship type
in that fleet
locations Location(s)a
Atlantic Fleet
SSBNs 6
1
Kings
Bay,
GA
SSGNs 2
1
Kings
Bay,
GA
SSNs
25
2
Groton, CT, and Norfolk, VA
CGs/DDGs/FFGs
54
2
Norfolk, VA, and Mayport, FL
LHAs/LHDs 5 1
Norfolk,
VA
LPDs/LSDs 10 2b
Norfolk, VA, and Little Creek, VAb
MCMs 9
1
Ingleside,
TX
Pacific Fleet
SSBNs 8
1
Bangor,
WA
SSGNs 2
1
Bangor,
WA,
SSNs
27
4
Pearl Harbor, HI, San Diego, CA, Kitsap-Bremerton, WA,
and Guam
CGs/DDGs/FFGs
54
4
San Diego, CA, Pearl Harbor, HI, Yokosuka, Japan, Everett,
WA
LHAs/LHDs
5
2
San Diego, CA, and Sasebo, Japan
LPDs/LSDs
11
2
San Diego, CA, and Sasebo, Japan
MCMs
5
2
Manama, Bahrain, and Sasebo, Japan
Source: Navy list of home ports and ships assigned, available at http://www.navy.mil/navydata/ships/lists/
homeport.asp, accessed on February 3, 2009.
Notes: SSBNs are nuclear-powered ballistic missile submarines; SSGNs are nuclear-powered cruise missile
and special operations forces submarines; SSNs are nuclear-powered attack submarines, CGs/DDGs/FFGs are
cruisers, destroyers, and frigates; LHAs/LHDs are large-deck amphibious assault ships; LPDs/LSDs are other
amphibious ships, and MCMs are mine countermeasures ships.
a. Although the Navy states that ships based at locations outside the United States (e.g., Yokosuka, Japan,
Sasebo, Japan, and Manama, Bahrain) are forward deployed to those locations, the ships are often referred
to as being homeported or forward-homeported at those locations. The Navy includes locations such as
Yokosuka, Sasebo, and Bahrain on lists of Navy home ports, and does not show alternate U.S. locations as
the home ports of these ships.
b. Little Creek is located a few miles from Norfolk, on the same side of the Hampton Roads waterway, and is
sometimes referred to as Norfolk (Little Creek). In assessing the strategic dispersion of Navy ships, some
observers might consider Norfolk and Little Creek as one location rather than two.
Norfolk and Mayport
Norfolk, Little Creek, and Newport News
In terms of numbers of ships homeported, Norfolk is the Navy’s largest Atlantic Fleet home port.
As of early-February 2009, 56 ships of various types—CVNs, attack submarines (SSNs), cruisers
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(CGs), destroyers, (DDGs), frigates (FFGs), large-deck amphibious assault ships
(LHAs/LHDs),11 and other amphibious ships (LPDs)—were homeported at Norfolk. The home
port at Little Creek, VA, is roughly 7 nautical miles to the east of Norfolk (depending on the exact
points used to measure the distance),12 on the same side of the Hampton Roads waterway,13 and is
sometimes referred to as Norfolk (Little Creek). Nine amphibious ships (LSDs) and patrol boats
(PCs) were homeported there as of early-February 2009. The CVN undergoing an RCOH at
NGNN is the only ship homeported at Newport News. Thus, as of early-February 2009, a total of
66 ships were homeported in the greater Hampton Roads area, including Norfolk, Little Creek,
and Newport News.
Mayport
Mayport is located in northeast Florida, on the Atlantic Coast, near Jacksonville. It is roughly 469
nautical miles south-southwest of Norfolk.14 In terms of numbers of ships homeported, Mayport
is the Navy’s second-largest Atlantic Fleet home port. As of early-February 2009, 20 CGs, DDGs,
and FFGs were homeported at Mayport. Some of these ships, particularly the FFGs, are
scheduled for decommissioning in coming years, and the Navy projects that unless additional
ships are homeported at Mayport, the total number of ships homeported there will decline to 11
by 2014 due to decommissionings.
In addition to homeporting CGs, DDGs, and FFGs, Mayport has also served as a CV home port at
various times since the 1950s, and most recently was the home port for the Kennedy, until that
ship was decommissioned in 2007. Navy records dating back to 1979 indicate that Mayport
served as a home port for two CVs (the Forrestal [CV-59] and the Saratoga [CV-60]) in 1979-
1980, 1985-1987, and 1989-1991. (During the period 1980-1985, first CV-60 and then CV-59
underwent Service Life Extension Program (SLEP) overhauls at the Philadelphia Naval
Shipyard.)15 Homeporting of Navy ships at Mayport reached recent peak of more than 30 ships,
including two CVs, in 1987, when the Navy as a whole reached a recent peak of 568 ships,
including 15 CVs and CVNs.
Mayport has not previously served as a CVN home port, and would require certain facility
upgrades to be capable of homeporting a CVN, including dredging and the construction of CVN
nuclear propulsion plant maintenance facilities.
Navy Announcement in January 2009 Record of Decision (ROD)
The Navy announced its desire to transfer a CVN to Mayport in a Record of Decision (ROD)
document dated January 14, 2009. The Navy stated in the ROD that a key reason it wants to

11 LHAs and LHDs resemble medium-sized aircraft carriers and are sometimes referred to as helicopter carriers or (in
British parlance) commando carriers.
12 This is the straight-line distance measured from maps.
13 The home ports of Norfolk and Little Creek are separated by the downtown portion of Norfolk itself.
14 This is the straight-line distance between the two locations, as calculated by the “How Fair Is It?” online distance
calculator available at http://www.indo.com/cgi-bin/dist.
15 Source: Navy Listing of U.S. Naval Ship Battle Forces for 1979 to the present. CV-59 underwent SLEP overhaul in
1983-1985; CV-60 did so in 1980-1983.
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transfer a CVN to Mayport is to hedge against the risk of a catastrophic event that could damage
the Navy’s CVN homeporting facilities in the Hampton Roads area of Virginia. The ROD states:
The DON decision to utilize the capacity at NAVSTA Mayport to homeport a CVN is the
culmination of a two and a half year process involving environmental analysis under the
National Environmental Policy Act (NEPA), identification of the recurring and nonrecurring
costs associated with homeporting surface ships at NAVSTA Mayport, and an assessment of
strategic concerns....
The decision reached by the DON, as further explained later in this Record of Decision, is
based upon the DON’s environmental, operational, and strategic expertise and represents the
best military judgment of the DON’s leadership. The need to develop a hedge against the
potentially crippling results of a catastrophic event was ultimately the determining factor in
this decision-making process. The consolidation of CVN capabilities in the Hampton Roads
area on the East Coast presents a unique set of risks. CVNs assigned to the West Coast are
spread among three homeports. Maintenance and repair infrastructure exists at three
locations as well. As a result, there are strategic options available to Pacific Fleet CVNs
should a catastrophic event occur. By contrast, NAVSTA Norfolk is homeport to all five of
the CVNs assigned to the Atlantic Fleet and the Hampton Roads area is the only East Coast
location where CVN maintenance and repair infrastructure exists. It is the only location in
the U.S. capable of CVN construction and refueling. The Hampton Roads area also houses
all Atlantic Fleet CVN trained crews and associated community support infrastructure. There
are no strategic options available outside the Hampton Roads area for Atlantic Fleet CVNs
should a catastrophic event occur.16
Additional excerpts from the ROD are presented in Appendix B.
Analyses Informing Navy Desire to Transfer a CVN to Mayport
The Navy states that its desire to transfer a CVN to Mayport is informed by three analyses:
• a “strategic laydown analysis” that projected the future size and composition of
the Navy, and then apportioned that Navy between the Pacific Fleet and the
Atlantic Fleet,
• a Final Environmental Impact Statement (FEIS) on alternatives for homeporting
additional surface ships at Mayport, and
• an analysis of the nonrecurring and recurring costs of homeporting ships at
Mayport.17
Each of these is discussed below.

16 Department of the Navy, Record of Decision for Homeporting of Additional Surface Ships at Naval Station Mayport,
Florida
, January 14, 2009, pp. 1-2.
17 Navy briefing to CRS, December 5, 2008, on Mayport homeporting. The Navy stated at the briefing that the strategic
laydown analysis began with an examination of Navy force structure requirements, meaning the numbers and types of
ships that the Navy would need in the future to perform its various missions. The force structure analysis, the Navy
stated, was followed by a global maritime posture for the year 2020 that in turn led to the Navy’s current plan for a
achieving and maintaining a 313-ship fleet. The 313-ship fleet, the Navy stated, became the baseline for the strategic
laydown The Navy stated that it then examined response times, maritime strategy, and direction from the 2006
Quadrennial Defense Review (QDR) to determine the apportionment of the fleet between the Atlantic Coast, Pacific
Coast, and forward-deployed home ports.
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Strategic Laydown Analysis
The strategic laydown analysis projected a future Navy fleet of 313 ships, including 11 CVNs.
(Navy plans since early-2006 have called for achieving and maintaining a 313-ship fleet with 11
CVNs.18) Based on an examination of projected future mission demands and other factors, the
Navy assigned 181 of these 313 ships (including 6 CVNs) to the Pacific Fleet, and 132 ships
(including 5 CVNs) to the Atlantic Fleet. This apportionment was then used to analyze the
amount of homeporting capacity that would be needed in coming years for Atlantic Fleet ships.
Homeporting capacity was measured in terms of linear feet of pier space, and expressed in terms
of cruiser equivalents (CGEs), with one CVN equaling four CGEs.
The analysis concluded that, given the 132 ships to be homeported on the Atlantic Coast and the
amount of homeporting capacity available at Norfolk and Little Creek, the Navy in coming years
would need 13 CGEs of surface ship homeporting capacity at an Atlantic Fleet location other than
Norfolk and Little Creek. The calculation assumed no double-breasting (i.e., side-by-side
mooring of two ships at a single pier) at Norfolk and Little Creek, and no construction of
additional pier space at Norfolk and Little Creek. As shown in Table 2, Mayport is currently the
Navy’s principal Atlantic Fleet location other than Norfolk and Little Creek for homeporting
larger surface ships.
Final Environmental Impact Statement (FEIS)
A Final Environmental Impact Statement (FEIS) on Mayport homeporting alternatives was
released in November 2008. The FEIS examined 12 alternatives for homeporting additional
surface ships at Mayport. Four of the 12 alternatives involved homeporting a CVN; another four
involved making Mayport capable of homeporting a CVN, but not immediately homeporting a
CVN there; and the remaining four did not involve making Mayport capable of homeporting a
CVN. Ten of the 12 alternatives also involved transferring additional ships other than a CVN—
various combinations of cruisers, destroyers, frigates, large-deck amphibious assault ships
(LHDs), and other amphibious ships (LPDs and LSDs)—to Mayport. The FEIS also assessed a
13th alternative of homeporting no additional ships at Mayport. Homeporting a single additional
ship—a CVN—was Alternative 4.
The FEIS identified Alternative 4 as the Navy’s preferred alternative. The FEIS, like the January
2009 ROD, stated that a key reason for the Navy’s desire to transfer a CVN to Mayport is to
hedge against the risk of a catastrophic event that could damage the Navy’s CVN homeporting
facilities in the Hampton Roads area of Virginia. The FEIS stated:
Based on a thorough review of the alternatives, the Department of the Navy has determined
Alternative 4 to be its Preferred Alternative. Alternative 4 involves homeporting one CVN,
dredging, infrastructure and wharf improvements, and construction of CVN nuclear
propulsion plant maintenance facilities. Factors that influenced selection of Alternative 4 as
the Preferred Alternative included impact analysis in the EIS, estimated costs of
implementation, including military construction and other operation and sustainment costs,
and strategic dispersal considerations. Homeporting a CVN at NAVSTA Mayport would
enhance distribution of CVN homeport locations to reduce risks to fleet resources in the
event of natural disaster, manmade calamity, or attack by foreign nations or terrorists. This

18 For a discussion, see CRS Report RL32665, Navy Force Structure and Shipbuilding Plans: Background and Issues
for Congress
, by Ronald O'Rourke.
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includes risks to aircraft carriers, industrial support facilities, and the people that operate and
maintain those crucial assets.
The aircraft carriers of the United States Navy are vital strategic assets that serve our national
interests in both peace and war. The President calls upon them for their unique ability to
provide both deterrence and combat support in times of crisis. Of the 11 aircraft carriers
currently in service, five are assigned to the Atlantic Fleet. Utilizing the capacity at
NAVSTA Mayport to homeport a CVN disperses critical Atlantic Fleet assets to reduce
risks, thereby enhancing operational readiness. Operational readiness is fundamental to the
Navy’s mission and obligation to the Commander in Chief.19
Nonrecurring and Recurring Costs
The Navy estimated the nonrecurring and recurring costs of each of the 12 options examined in
the FEIS for homeporting additional surface ships at Mayport. The Navy estimates the
nonrecurring (i.e., initial) cost of transferring a CVN to Mayport at $565 million. This figure
includes $456 million in Military Construction (MilCon) funding, a one-time maintenance cost of
$85 million, and $24 million in personnel change of station (PCS) costs. The $456 million in
MilCon funding includes $30 million for planning and design work, and $426 million for
dredging, infrastructure improvements, wharf improvements, and construction of CVN nuclear
propulsion plant maintenance facilities.20
The Navy estimates that, compared to the cost of homeporting a CVN at Norfolk, homeporting a
CVN at Mayport would result in an additional recurring (i.e., annual) cost of $25.5 million in
constant calendar year 2010 (CY10) dollars. This estimate is a revision of an earlier estimate of
$20.4 million in recurring costs that was briefed to Congressional offices following the release of
the FEIS. The Navy states that the estimate of $25.5 million in additional recurring costs
is based on an approximate yearly recurring cost of Base Operating Support (BOS) and
Sustainment, Restoration, and Modernization (SRM) at $8.3M, Operations at $0.8M,
travel/per-diem for transitory maintenance labor which occur two of every three 32-month
operating cycles but annualized at $12.9M, permanent on-site labor at $5M and bi-annual
maintenance dredging to maintain the depth necessary for unrestricted carrier access
averaged out to $0.1M per year. It is anticipated that Basic Allowance for Housing (BAH)
would show an annual savings of $1.6M.21
Navy Summary of Its Comparison of Mayport and Norfolk
Table 3 reproduces a Navy table that summarizes the Navy’s comparison of Mayport and Norfolk
in terms of certain operational characteristics and risk factors.

19 Naval Facilities Engineering Command, Southeast, Final EIS for the Proposed Homeporting of Additional Surface
Ships At Naval Station Mayport, FL, Volume: Final Environmental Impact Statement
, November 2008, p. ES-16.
20 Source: Navy briefing entitled “Final Environmental Impact Statement (FEIS) for the Proposed Homeporting of
Additional Surface Ships at Naval Station Mayport, FL,” November 18, 2008, presented to CRS on December 5, 2008.
21 Source: Department of Defense information paper responding to questions from CRS, dated December 23, 2008 and
provided to CRS on January 6, 2009.
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Table 3. Navy Table Comparing Mayport and Norfolk
Transit times
Response
to Respective
times to
Training
Man-Made
Physical Force

COCOMs
Ranges
Hurricane Risk
Disaster Risk
Protection
Norfolk Slight

No Advantage


Advantage
Mayport Slight Slight
No Advantage
Slight
Slight
SOUTHCOM
Advantage
Advantage
Advantage
Advantage
(HADR/GFS)
Source: Reproduction of Navy briefing slide entitled “Norfolk vs. Mayport,” in Navy briefing entitled “Final
Environmental Impact Statement (FEIS) for the Proposed Homeporting of Additional Surface Ships at Naval
Station Mayport, FL,” November 18, 2008, presented to CRS on December 5, 2008. Emboldening as in the
original. At the bottom of the briefing slide, below the table, the slide stated: “Bottom Line: Most Compelling
Strategic Rationale to Homeport a CVN/LHA in Mayport is as a hedge against a catastrophic event in Norfolk..”
Notes: COCOMs means U.S. regional combatant commanders; SOUTHCOM means U.S. Southern
Command; HADR/GFS means humanitarian assistance and disaster response operations/Global Fleet Station. A
GFS is a Navy formation of one or more forward-deployed Navy ships that operates in an area so as to facilitate
peacetime U.S. engagement with one or more countries in that area. Amphibious and high-speed sealift ships
have served as the core ships of GFSs.
Local Economic Value of Homeporting a CVN
Serving as the home port for a CVN can generate substantial economic activity in the home port
area. This activity includes, among other things, the ship’s crew of more than 3,000 sailors
spending its pay at local businesses, the Navy purchasing supplies for the ship from local
businesses, and Navy expenditures for performing maintenance on the ship while it is in the home
port.
Various estimates have been reported of the value of homeporting a CVN to the economy of the
home port area. The FEIS estimates that transferring a CVN at Mayport would result in 2,900
more jobs, $220 million more in direct payroll, $208 million more in disposable income, and $10
million more in local tax contributions for the Mayport area.22 An August 2007 press report stated

22 The FEIS estimated the socioeconomic impacts of the various homeporting alternatives for Mayport. These impacts
were measured in relation to a 2006 baseline situation in which Mayport served as a home port to 22 ships, including
the carrier Kennedy. The FEIS assumed that homeporting a CVN at Mayport—Alternative 4—would result in a
situation of one CVN and 11 other surface ships being homeported at Mayport in 2014. The FEIS stated that, for the
Mayport area:
Under Alternative 4, the estimated construction impacts would total approximately $671 million
and result in 7,400 jobs. It is anticipated that the percent change for total dependents would be -13
percent [compared to the 2006 baseline], and total school age children would be reduced by 12
percent [compared to the 2006 baseline]. Average annual growth in direct jobs would be -2.1
percent [compared to the 2006 baseline], and total change in employment would be approximately
-2,000 jobs [compared to the 2006 baseline]. Direct payroll would be reduced by $150 million
[compared to the 2006 baseline], and change in disposable income would be reduced by a total of
$141 million [compared to the 2006 baseline]. Estimated local tax contributions would be reduced
by approximately $6 million [compared to the 2006 baseline].
[Department of the Navy, Final EIS for the Proposed Homeporting of Additional Surface Ships at
Naval Station Mayport, FL, Volume I: Final Environmental Impact Statement
, November 2008, pp.
ES-29.]
(continued...)
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that “some reports put the [earlier] loss of the [aircraft carrier] George Washington at $450
million in payroll and 8,200 military and civilian jobs in Norfolk.”23 A November 2008 press
report from a Norfolk newspaper stated that “The regional chamber of commerce estimates a
carrier creates 11,000 jobs and $650 million in annual economic activity.”24 Another November
2008 press report states that “Jacksonville mayor John Peyton said the new carrier would bring
about 3,190 military jobs and pump about $500 million a year into the north Florida economy in
salaries and spending.”25 Another November 2008 press report states that “Virginians calculate
that the economic activity related to one carrier can reach $1 billion a year.”26
The Navy estimates that the initial $426 million in military construction work at Mayport would
generate a total of $671 million in initial economic activity.27

(...continued)
Under the 13th alternative—the No Action Alternative—no additional ships would be homeported at Mayport, and
Mayport in 2014 would serve as the homeport to 11 surface ships, none of them a CVN. The FEIS stated that, for the
Mayport area:
Under the No Action Alternative, the percent change for total dependents would be -35 percent and
total school age children would decline by 32 percent as compared to the 2006 baseline. Average
annual growth in direct jobs would be -5.7 percent [compared to the 2006 baseline] and total
change in employment would be a loss of approximately 4,900 jobs [compared to the 2006
baseline]. Direct payroll would be reduced by $370 million [compared to the 2006 baseline], and
change in disposable income would decline by a total of $349 million [compared to the 2006
baseline]. Estimated local tax contributions would decrease by approximately $16 million
[compared to the 2006 baseline]. The NAVSTA Mayport population would decline, resulting in a
decline in on- and off-Station housing demand and occupancy rate.
[Department of the Navy, Final EIS for the Proposed Homeporting of Additional Surface Ships at
Naval Station Mayport, FL, Volume I: Final Environmental Impact Statement
, November 2008, pp.
ES-31.]
The difference between Alternative 4 and the No Action Alternative is the presence of the CVN (Alternative 4) or
absence of the CVN (No Action Alternative). Compared to the No Action Alternative, under Alternative 4 in the 2014
end state, there would be 2,900 more jobs (the difference between a loss of 2,000 jobs and a loss of 4,900 jobs), $220
million more in direct payroll (the difference between a reduction in direct payroll of $150 million and a reduction in
direct payroll of $370 million), $208 million more in disposable income (the difference between a decline in disposable
income of $141 million and a decline in disposable income of $349 million.), and $10 million more in local tax
contributions (the difference between a reduction in estimated local tax contributions of $6 million and a reduction in
estimated local tax contributions of $16 million).
23 Andrew Scutro, “Senators Lobby Mullen for Mayport Flattop,” NavyTimes.com, August 13, 2007.
24 Louis Hansen, “Use of Florida Site Vital to Carrier Safety, Navy Report Says,” Norfolk Virginian-Pilot, November
22, 2008. These figures were repeated in Dale Eisman and Louis Hansen, “Va. Senators Try New Tack On Plan To
Move Carrier,” Norfolk Virginian-Pilot, December 9, 2008; Dale Eisman and Louis Hansen, “Navy Appears To Have
Made Decision To Put Carrier In Florida,” Norfolk Virginian-Pilot, December 20, 2008; Dale Eisman and Louis
Hansen, “Navy Backs Plan To Move A Carrier To Mayport, Florida,” Norfolk Virginian-Pilot, January 15, 2009; Dale
Eisman, “Next Defense Team To Weigh Carrier’s Florida Move,” Norfolk Virginian-Pilot, January 16, 2009.
25 Ron Word, “Fla. Officials: Do Not Delay Carrier Decision,” NavyTimes.com (Associated Press), November 25,
2008.
26 Roxana Tiron, “Nuclear Carrier Rift Expected To Spark Battle Between Dems,” The Hill, November 19, 2008.
27 The Navy states that:
The amount of $671M represents the estimated economic benefit to the region resulting from the
federal investment of military construction dollars (i.e., the “ripple effect”), not just the budgeted
construction costs. The figure is derived from [the] IMPLAN model, a regional economic modeling
program. The $671M includes direct impacts ($426M in MILCON), indirect impacts ($91M in
related economic sector expenditures), and induced impacts ($154M in additional household
spending derived from income gained through direct and indirect effects).
(Source: Department of Defense information paper responding to questions from congressional
(continued...)
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Issues for Congress
Since a key reason the Navy wants to transfer a CVN to Mayport is to hedge against the risk of a
catastrophic event that could damage the Navy’s CVN homeporting facilities in the Hampton
Roads area of Virginia, potential questions for Congress to consider include the following:
• What is the risk of a catastrophic event damaging Atlantic Coast CVN
homeporting facilities, and how might that risk be altered by homeporting a CVN
at Mayport?
• If a catastrophic event were to damage Atlantic Coast CVN homeporting
facilities, what would be the operational impact on the Navy, and how quickly
could the Navy repair the damage and return to normal operations?
• Are the costs associated with homeporting a CVN at Mayport worth the benefits
in terms of hedging against the risk of a catastrophic event damaging Atlantic
Coast CVN homeporting facilities?
In assessing these and other questions relating to the Navy’s desire to transfer a CVN to Mayport,
Congress may consider several specific issues, including the following:
• the Navy’s strategic laydown analysis;
• the Navy’s estimated recurring and nonrecurring costs for homeporting a CVN at
Mayport;
• transit times from Norfolk and Mayport to key destinations;
• the vulnerability of Norfolk and Mayport to natural and man-made catastrophes;
• other factors that might differentiate Norfolk and Mayport;
• the Final Environmental Impact Statement (FEIS) on Mayport homeporting
options;
• potential options for Mayport homeporting other than those studied in the FEIS;
and
• potential alternative uses of the funding that would be required for homeporting a
CVN at Mayport.
Each of these specific issues is discussed below.
Strategic Laydown Analysis
One issue that Congress may consider is the Navy’s strategic laydown analysis. As mentioned
earlier, this analysis projected a future fleet of 313 ships (including 11 CVNs), of which 181 ships
(including 6 CVNs) would be assigned to the Pacific Fleet and 132 ships (including 5 CVNs)
would be assigned to the Atlantic Fleet.

(...continued)
offices, dated December 19, 2008, and provided to CRS on January 6, 2009, question/request 42.)
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Some observers in recent years have raised questions about the affordability of the Navy’s
shipbuilding plans, and thus about the Navy’s prospective ability to increase the fleet from its
current size of about 280 ships28 to the planned size of 313 ships.29 Supporters of keeping all
Atlantic Fleet CVNs homeported at Norfolk could argue that if the Navy in coming years
includes fewer than 313 ships or fewer than 11 CVNs, there will be less need to shift a CVN from
Norfolk to Mayport for reasons relating to homeporting capacity. Supporters of homeporting a
CVN at Mayport could argue that if the Navy in coming years includes fewer than 313 ships or
fewer than 11 CVNs, each ship or each CVN would represent a larger percentage of the Navy’s
overall capability, making the need to hedge against a catastrophic event in the Hampton Roads
area more important.
Additional factors that Congress may consider in connection with the strategic laydown analysis
include the Navy’s projected apportionment of the fleet between the Pacific and Atlantic Coasts
(which reflects, among other things, a Navy judgment about likely potential missions for the
Navy), the potential for “breasting’ (i.e., side-by-side mooring of two or more ships at a single
pier), and the cost of increasing homeporting capacity at Norfolk through construction of
additional pier space and other facilities.
Nonrecurring and Recurring Costs
A second issue that Congress may consider is whether the Navy has accurately estimated the
nonrecurring and recurring costs of homeporting a CVN at Mayport. Other things held equal, if
the Navy has underestimated or overestimated these costs, it might weaken or strengthen,
respectively, the argument for homeporting a CVN at Mayport.
Transit Times
A third issue that Congress may consider is whether the Navy has accurately assessed the relative
merits of Norfolk and Mayport in terms of transit times to key overseas operating areas and
training ranges, as shown in the first two columns of Table 3. Transit times are a function of
transit distance and transit speed.
With regard to transit times to key overseas operating areas, one key destination is the Strait of
Gibraltar, which is used to support operations in the Mediterranean and (via the Suez canal) the
Indian Ocean and Persian Gulf. Other key destinations include the Cape of Good Hope (a longer
route to the Indian Ocean and Persian Gulf, but one that avoids the need to transit the Suez canal),
and Puerto Rico (which might be considered a representative destination for supporting
operations in the Caribbean). Table 4 shows transit times from Norfolk and Mayport to these
three destinations at 14 knots (a typical transit speed for routine forward deployments) and 20
knots (an elevated transit speed that might be more likely for responding to a contingency).

28 The Navy as of February 9, 2009, included 283 ships.
29 For more on the Navy’s planned 313-ship fleet, see CRS Report RL32665, Navy Force Structure and Shipbuilding
Plans: Background and Issues for Congress
, by Ronald O'Rourke.
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Table 4. Transit Times To Key Destinations
In days, as a function of transit speed


Transit speed
Destination
From
14 knots
20 knots
Strait of Gibraltar
Mayport
11.1
7.6
Norfolk
9.9 7.0
Cape of Good Hope
Mayport
34.8
24.4
Norfolk
34.8 24.3
Puerto Rico
Mayport
6.2
4.3
Norfolk
6.9 4.8
Source: Navy briefing slide entitled “Average Transit Times East/West,” in Navy briefing entitled “Final
Environmental Impact Statement (FEIS) for the Proposed Homeporting of Additional Surface Ships at Naval
Station Mayport, FL,” November 18, 2008, presented to CRS on December 5, 2008; and (for Puerto Rico)
Department of Defense information paper responding to questions from CRS, dated December 23, 2008 and
provided to CRS on January 6, 2009.
Port Vulnerability
A fourth issue that Congress may consider is whether the Navy has accurately assessed
vulnerability-related factors at Norfolk and Mayport, including the risk of a natural or man-made
catastrophic event damaging CVN homeporting facilities, and the Navy’s ability to defend against
such an event at either site. The Navy’s summary of its assessments of these factors is shown in
the third, fourth and fifth columns of Table 3.
In assessing the question of port vulnerability, one factor that might be considered is the current
degree of concentration or dispersion of Navy ships other than Atlantic Fleet CVNs. For example,
supporters of transferring a CVN to Mayport might observe from Table 1 that the Navy’s Pacific
Fleet CVN homeporting facilities are currently located in three widely separated areas (San
Diego, the Puget Sound area of Washington state, and Yokosuka, Japan), while supporters of
keeping all Atlantic Fleet CVNs homeported at Norfolk might observe from Table 2 that the
Navy’s Pacific Fleet and Atlantic Fleet ballistic missile submarines (SSBNs)—which, like CVNs,
are low-quantity, high-value assets—are homeported at a single site on each coast (Bangor, WA,
and Kings Bay, GA, respectively). Table 1 and Table 2 can be used to support additional
observations concerning concentration or dispersion of other types of ships.
Natural Disaster
As shown in Table 3, hurricanes were the principal type of natural disaster analyzed in comparing
the relative risk of a natural disaster at Hampton Roads and Mayport. The Navy assesses that,
historically, the hurricane risk to Norfolk is similar to the risk to Jacksonville, which is close to
Mayport. Information provided by the Navy regarding the risk of hurricanes at Norfolk and
Mayport is presented in the Appendix C of this report.
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Man-Made Disaster
Potential man-made disasters include but are not limited to shipping accidents, conventional or
nuclear military attacks by foreign countries, and terrorist attacks.
During the Cold War, the Navy was concerned about the potential for a conventional military
attack on U.S. home ports by Soviet military forces. One possibility was a covert mining of U.S.
Navy home ports by Soviet submarines and Warsaw Pact merchant ships prior to the start of a
NATO-Warsaw Pact conflict. Another possibility was a cruise missile strike by Soviet submarines
against Navy port facilities or ships in port. Concern over the potential for a conventional military
attack on U.S. home ports by Soviet military forces was the central reason for the Navy’s strategic
homeporting program of the 1980s, which dispersed some of the Navy’s ships away from the
Navy’s major home ports.30
The end of the Cold War reduced the apparent risk of a conventional military attack on U.S. Navy
home ports by a foreign country, and led to a reconsideration of the strategic homeporting
program.31 China is modernizing its naval and other military forces,32 but any potential ability
China might have in coming years for conducting a conventional attack on U.S. home ports might
be more of an issue for Pacific Fleet home ports than for Atlantic Fleet home ports.
The terrorist attack of October 12, 2000, on the destroyer Cole (DDG-67) in the port of Aden,
Yemen,33 and the terrorist attacks of September 11, 2001, have led to increased focus on the
potential for terrorist attacks on U.S. port areas.
The Navy states that Department of Defense (DOD) and other U.S. government entities
conducted several vulnerability assessments for Norfolk and Mayport between 2006 and 2008.34
The contents of these assessments are generally classified.

30 See CRS Issue Brief IB85193, The Navy’s Strategic Homeporting Program: Issues for Congress, by Ronald
O’Rourke. This issue brief is out of print and is available directly from the author.
31 See CRS Issue Brief IB90077, Strategic Homeporting Reconsidered, by Ronald O’Rourke. This issue brief is out of
print and is available directly from the author.
32 See CRS Report RL33153, China Naval Modernization: Implications for U.S. Navy Capabilities—Background and
Issues for Congress
, by Ronald O'Rourke.
33 For a discussion of this attack, see CRS Report RS20721, Terrorist Attack on USS Cole: Background and Issues for
Congress
, by Raphael F. Perl and Ronald O'Rourke.
34 In response to a question from CRS regarding vulnerability assessments for Norfolk and Mayport, the Navy stated
the following (which has been edited for ease of reading): The Joint Staff sponsored a Joint Staff Integrated
Vulnerability Assessment (JSIVA) on Naval Station Norfolk that was conducted from August 6 to August 11, 2006.
The team conducting the assessment was composed of seven specialists from the Defense Threat Reduction Agency
(DTRA). The Naval Criminal Investigative Service (NCIS) conducted a Chief of Naval Operations Integrated
Vulnerability Assessment (CNOIVA) for Naval Station Mayport from January 21 to January 26, 2007. Threat
assessments conducted by NCIS through the Multiple Threat Alert Center (MTAC) prior to specific events, such as air
shows, also serve as threat updates for other Department of the Navy commands located in the geographic area. NCIS
also conducts Port Integrated Vulnerability Assessments (PIVA) for ports and facilities that are not USN bases.
Additional vulnerability and threat assessments that were completed include the following: a Southeast Virginia Threat
Assessment that was conducted from August 27 to October 7, 2008; a Mayport Threat Assessment dated May 30, 2008;
a Jacksonville Threat Assessment dated October 1, 2008; an FBI assessment entitled “Domestic Maritime Domain
Terrorist Threat Assessment” dated March 28, 2008; an update to that assessment entitled “Domestic Maritime Domain
Terrorist Threat Assessment (Update)” dated April 17, 2008; a Department of Homeland Security assessment entitled
“Homeland Security Threat Assessment: Evaluating Threats 2008-2013” dated July 18, 2008; a U.S. Coast Guard
assessment entitled “The Terrorist Threat to the U.S. Maritime Domain” dated March 25, 2004; and a Director of
(continued...)
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The Navy states that it used statistics on shipping volumes at the ports of Norfolk and
Jacksonville (near Mayport) as one measure of the relative risk of a man-made disaster at Norfolk
and Mayport, the idea being that certain elements of the risk of man-made disaster are somewhat
proportional to the volume of shipping. The Navy states that in 2006, 2.05 million cargo
containers and 16.6 million tons of cargo passed through the port of Norfolk, while 768,200 cargo
containers and 8.31 million tons of cargo passed through the port of Jacksonville.35 The Navy
further states that the center of the shipping channel in the port of Norfolk is about 500 yards
from the carrier piers, and that the channel is separated from the piers by a line of buoys but no
fixed obstruction, while the center of the shipping channel in the port of Jacksonville is also about
500 yards from the carrier pier, but is separated from the carrier pier by a 200-yard-wide spit of
land.36
Other Factors That Might Differentiate Norfolk and Mayport
A fifth issue that Congress may consider is whether the Navy has overlooked or not given
adequate weight to other factors in evaluating the merits of Mayport and Norfolk as Navy home
ports. Possibilities might include things such as the interaction of the base facilities at Mayport or
Norfolk with other regional military facilities (such as naval air stations), or the possible effect of
CVN homeporting on Navy recruiting in the area surrounding the home port.
Final Environmental Impact Statement (FEIS)37
A sixth issue that Congress may consider is the adequacy of the FEIS that the Navy prepared to
assess the potential environmental impacts of locating a nuclear carrier at Mayport. The National
Environmental Policy Act (NEPA) requires all federal agencies to prepare environmental impact
statements for major actions that would significantly affect the environment. The scope of these
statements are broader than the environment per se, as agencies are required to examine not only
the potential impacts on the natural environment but also the socio-economic impacts of a
proposed action. Some observers have questioned whether the Navy thoroughly assessed these
sets of impacts when it selected Mayport for the location of a CVN.38

(...continued)
National Intelligence assessment entitled “The Terrorist Threat to the US Homeland” dated July 2007. (Source:
Department of Defense information paper responding to questions from CRS, dated December 23, 2008 and provided
to CRS on January 6, 2009.)
35 The cargo containers were measured in Twenty-Foot Equivalent Units (TEUs), a standard metric for counting cargo
containers.
36 Source: Slide entitled “Shipping—Man Made Disaster Risk,” from Navy briefing entitled “Final Environmental
Impact Statement (FEIS) for the Proposed Homeporting of Additional Surface Ships at Naval Station Mayport, FL,”
November 18, 2008, presented to CRS on December 5, 2008.
37 This section was drafted by David M. Bearden, Specialist in Environmental Policy, Resources, Science, and Industry
Division.
38 See, for example, Dale Eisman and Louis, “Va. Senators Try New Tack On Plan To Move Carrier,” Norfolk
Virginian-Pilot
, December 9, 2008.
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Mayport Homeporting Options Other Than Those Studied
A seventh issue that Congress may consider are potential options for homeporting additional
ships at Mayport that differ from the 12 alternatives studied in the FEIS. One such possibility,
which the FEIS mentioned but did not examine in detail, would be to homeport some number of
Littoral Combat Ships (LCSs) at Mayport. LCSs, which are just beginning to enter service with
the Navy, are somewhat smaller than the Navy’s frigates and are to have much smaller crews.39
Another possibility would be to homeport two CVNs rather than one CVN at Mayport. As
mentioned earlier, Mayport served as a home port for two CVs for several years during the 1980s.
Alternative Uses of Funding
An eighth issue that Congress may consider are potential alternative uses by the Navy or some
other part of DOD of the funding that would be needed for homeporting a CVN at Mayport, and
how the benefits of those potential alternative uses would compare to the benefits of homeporting
a CVN at Mayport.
Legislative Activity for FY2010
FY2010 Military Construction Funding Request
The Navy’s proposed FY2010 budget requests $46.303 million in Military Construction (MilCon)
funding for channel dredging at Mayport to support the ability of a CVN to enter Mayport.
The budget also requests $29.682 million in MilCon funding to repair a wharf at Mayport, but
this request is not related to Mayport’s ability to support a CVN—it is related to Mayport’s
current role as a home port to CGs, DDGs, and FFGs.
Together, a total of $75.985 million is requested for channel dredging (CVN related) and wharf
repair (not CVN related) at Mayport.
FY2010 Defense Authorization Bill (H.R. 2647/S. 1390)
House
The House Armed Services Committee, in its report (H.Rept. 111-166 of June 18, 2009) on H.R.
2647, recommends rejecting the administration’s FY2010 request for $46.3 million in MilCon
funding for channel dredging at Mayport. (Page 496) The committee’s report states:
The budget request included $46,303,000 to support construction dredging of the Naval
Station Mayport turning basin, inner channel, and outer channel.

39 For more on the LCS program, see CRS Report RL33741, Navy Littoral Combat Ship (LCS) Program: Background,
Oversight Issues, and Options for Congress
, by Ronald O'Rourke.
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The committee is concerned that a decision to complete the construction dredging of Naval
Station Mayport would predispose a Quadrennial Defense Review’s determination as to an
East Coast Nuclear Aircraft Carrier basing.
Accordingly, the committee recommends $0, a reduction of $46,303,000, to support this
project. (Page 516).
The committee’s report also states:
Comptroller General Assessment of Military Basing Decision Process
The committee directs the Comptroller General of the United States to submit a report to the
congressional defense committees by May 1, 2010, on the military services’ decision process
used in making basing determinations, such as the decision to establish a second homeport
for a nuclear-powered aircraft carrier on the East Coast of the United States. The committee
believes this decision raises significant strategic, cost, and risk questions.
It is not clear to the committee how the Navy has been determining its basing decisions. For
example, the Navy’s consideration of whether to homeport additional surface ships at Naval
Station Mayport (NAVSTA Mayport), Florida, appears to lack strategic depth. The
committee notes that homeporting a nuclear aircraft carrier at NAVSTA Mayport would cost
at least $560.0 million in military construction, require the dredging and disposal of
approximately 5.2 million cubic yards of dredge material, and increase long-term operation
and maintenance costs. The Navy does not appear to have carried out a comprehensive
process to determine the need for such expenditures with consideration for strategic
rationale, fiscal realities, environmental impacts, and personnel impacts associated with the
decision.
In light of the substantial costs and the strategic and community impacts that result from
basing decisions, the committee directs the Comptroller General to conduct a study on the
manner in which the military services consider and utilize the following in making basing
decisions: changes to military force structure, strategic imperative and risk assessment, input
from combatant commanders, cost, and environmental and socio-economic impacts.
Specifically, the review should address the following:
(1) Military force structure considerations: When rebasing military assets from one
installation to another, the processes the military services use to assess the impact
associated with the current and future home stations or homeports.
(2) Strategic imperative and risk assessment: The extent to which the military services
consider strategic shifts in force posture, such as the shift of naval assets from the
Atlantic Ocean to the Pacific Ocean, in basing decisions. When making basing decisions
related to strategic dispersal of military assets, the process used by the services to
conduct and consider risk assessments. In making the nuclear aircraft carrier
homeporting decision, how the Navy weighed the comparative risk between the
different needs of the Navy. For example, the consideration the Navy gave to building
an additional nuclear aircraft carrier homeport at Naval Station Mayport versus failing
to meet ship maintenance and repair shortfalls, or the need for a 313–ship Navy.
(3) Cost: The extent to which the military services use a cost-benefit analysis in making
basing decisions and the extent to which the budgetary requirements of the entire
military service and Department of Defense are considered; the consideration given in
the decision-making process to shortfalls in other service budgets and other internal
budget accounts; and how the services’ analyses compare the strategic benefits of
expending funds for one purpose (such as the construction of additional infrastructure)
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to the use of funds for other purposes (such as meeting unfunded procurement
requirements) in determining whether to proceed with a decision. (Pages 537-538)
Senate
Section 2201 of S. 1390 as reported by the Senate Armed Services Committee (S.Rept. 111-35 of
July 2, 2009) recommends approving the administration’s FY2010 request for a total of $75.985
million for MilCon projects (including the channel dredging project) at Mayport. (See page 753
of the printed bill.) The committee’s report does not contain any narrative language directly
discussing the issue of carrier homeporting at Mayport.
Section 114 of S. 1390 requires the Navy to submit a report to the congressional defense
committees on a potential service life extension program (SLEP) for the Navy’s Oliver Hazard
Perry (FFG-7) class frigates. FFG-7s account for several of the surface combatants currently
homeported at Mayport, and the FFG-7s homeported at Mayport are currently scheduled to be
retired from Navy service by 2014. The text of Section 114 is as follows:
SEC. 114. REPORT ON A SERVICE LIFE EXTENSION PROGRAM FOR OLIVER
HAZARD PERRY CLASS FRIGATES.
Not later than 90 days after the date of the enactment of this Act, the Secretary of the Navy
shall submit to the congressional defense committees a report setting forth the following:
(1) A detailed analysis of a service life extension program (SLEP) for the Oliver Hazard
Perry class frigates (FFGs), including—
(A) the cost of the program;
(B) a schedule for the program; and
(C) the shipyards available to carry out the work under the program.
(2) A detailed plan of the Navy for achieving a 313-ship fleet as contemplated by the 2006
Quadrennial Defense Review, including a comparison for purposes of that plan of
decommissioning Oliver Hazard Perry class frigates as scheduled with extending the service
life of such frigates under the service life extension program.
(3) The strategic plan of the Navy for the manner in which the Littoral Combat Ship (LCS)
will fulfill the roles and missions currently performed by the Oliver Hazard Perry class
frigates as they are decommissioned.
(4) The strategic plan of the Navy for the Littoral Combat Ship if the extension of the service
life of the Oliver Hazard Perry class frigates alleviates demand arising under the current
capabilities gap in the Littoral Combat Ship.
(5) A description of the manner in which the Navy has met the needs of the United States
Southern Command over time, including the assets and vessels the Navy has deployed for
military-to-military engagements, UNITAS exercises, and counterdrug operations in support
of the Commander of the United States Southern Command during the five-year period
ending on the date of the report.
Section 112 of S. 1390 requires the Navy to submit a report to the congressional defense
committees on the Navy’s plans for homeporting Littoral Combat Ships (LCSs). Under current
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Navy plans, LCSs are to replace Oliver Hazard Perry (FFG-7) class frigates in the Navy’s force
structure. The text of Section 112 is as follows:
SEC. 112. REPORT ON STRATEGIC PLAN FOR HOMEPORTING THE LITTORAL
COMBAT SHIP.
(a) Report Required- Not later than 90 days after the date of the enactment of this Act, the
Secretary of the Navy shall submit to the congressional defense committees a report setting
forth the strategic plan of the Navy for homeporting the Littoral Combat Ship (LCS) on the
East Coast and West Coast of the United States.
(b) Elements- The report required by subsection (a) shall include the following:
(1) The requirements for homeporting of the Littoral Combat ship of the commanders of the
combatant commands, set forth by geographic area of responsibility (AOR).
(2) A description of the manner in which the Navy will meet the requirements identified
under paragraph (1).
(3) An assessment of the effect of each type of Littoral Combat Ship on each port in which
such ship could be homeported.
(4) A map, based on the current plan of 55 Littoral Combat Ships, identifying where each
ship will homeport and how such ports will accommodate both types of Littoral Combat
Ships, based on the current program and a 313-ship Navy.
(5) An estimate of the costs of infrastructure required for Littoral Combat Ships at each
homeport, including—
(A) existing infrastructure; and
(B) such upgraded infrastructure as may be required.
FY2010 Military Construction and Veterans Affairs Appropriations
Bill (H.R. 3082/S. 1407)

House
The House Appropriations Committee, in its report (H.Rept. 111-188 of June 26, 2009) on H.R.
3082, recommends approving the administration’s FY2010 request for $46.3 million in MilCon
funding for channel dredging at Mayport. (Page 107)
Senate
The Senate Appropriations Committee, in its report (S.Rept. 111-40 of July 7, 2009) on S. 1407,
recommends approving the administration’s FY2010 request for $46.3 million in MilCon funding
for channel dredging at Mayport. (Page 88)

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Appendix A. Prior-Year Legislative Activity
FY2009 Defense Authorization Act
Section 2207 of the FY2009 defense authorization bill as passed by the House (H.R. 5658;
H.Rept. 110-652 of May 16, 2008) stated:
SEC. 2207. REPORT ON IMPACTS OF SURFACE SHIP HOMEPORTING
ALTERNATIVES.
(a) Report Required- The Secretary of the Navy shall not issue a record of decision for the
proposed action of homeporting additional surface ships at Naval Station Mayport, Florida,
until at least 30 days after the date on which the Secretary submits to Congress a report
containing an analysis of the socio-economic impacts and an economic justification on each
location from which a vessel is proposed to be removed for homeporting at Naval Station
Mayport under the preferred alternative identified in the final environmental impact
statement for the proposed action.
(b) Additional Reporting Requirement- If the final environmental impact statement does not
contain a preferred alternative or if the Secretary intends to select an alternative other than
the preferred alternative in the record of decision, then the Secretary shall submit to Congress
a report (in the case where no preferred alternative is identified) or an additional report (in
the case where the preferred alternative is not selected) containing an analysis of the socio-
economic impacts and an economic justification on each location from which a vessel is
proposed to be removed for homeporting at Naval Station Mayport.
The FY2009 defense authorization bill as passed by the Senate (S. 3001; S.Rept. 110-335 of May
12, 2008) did not contain a provision similar to Section 2207 of H.R. 5658.
In lieu of a conference report, there was compromise version of S. 3001 that was accompanied by
a joint explanatory statement. The compromise version of S. 3001, which was signed into law as
P.L. 110-417 of October 14, 2008, did not contain a provision similar to Section 2207 of H.R.
5658.
FY2008 Defense Authorization Act
The House Armed Services Committee, in its report (H.Rept. 110-146 of May 11, 2007) on the
FY2008 defense authorization bill (H.R. 1585), stated:
Carrier Basing
The committee understands that the Navy has unused capacity at Naval Station Mayport,
Florida, and is conducting an environmental impact statement on the feasibility of stationing
additional surface ships, including a nuclear aircraft carrier, at Naval Station Mayport. The
committee believes that Naval Station Mayport is an important defense asset that should be
fully utilized. The committee is concerned that Naval Station Mayport has not previously
served as homeport for a nuclear carrier and does not contain the considerable specialized
infrastructure necessary to sustain and maintain such a vessel. Therefore, before the
Secretary of the Navy recommends the stationing of a nuclear carrier at Naval Station
Mayport, the committee directs the Secretary to determine the full range of costs associated
with the construction of nuclear infrastructure and port improvements at Naval Station
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Mayport necessary to support a nuclear carrier, including a detailed assessment of alternative
sites, and submit the results of this analysis to the congressional defense committees by
October 1, 2007. (Page 518)
FY2008 Military Construction, Veteran Affairs, and Related
Agencies Appropriations Act

The House Appropriations Committee, in its report (H.Rept. 110-186 of June 11, 2007) on H.R.
2642, which at that point was the FY2008 military construction, veteran affairs, and related
agencies appropriations bill, stated:
Carrier Homeporting.—The Committee understands that it is the Navy’s publicly stated
policy to maintain two nuclear carrier-capable homeports on the east coast. The Committee
further understands that the Navy is in the process of drafting an environmental impact
statement (EIS) that includes the evaluation of the necessary infrastructure and dredging
required to make Naval Station Mayport the second such homeport in addition to Naval
Station Norfolk, and that a draft EIS will be released in early 2008. The Committee directs
the Navy to provide a report to the Committee identifying the military construction
requirements and an estimated timetable for completion for making Mayport a nuclear
carrier-capable homeport no later than 30 days after release of the draft EIS. (Page 17)
H.R. 2642 later became the FY2008 supplemental appropriations act (P.L. 110-252 of June 30,
2008). The FY2008 military construction, veteran affairs, and related agencies appropriations bill
was eventually enacted as part of the FY2008 consolidated appropriations act (H.R. 2764/P.L.
110-161 of December 26, 2007).
FY2007 Defense Authorization Act
The Senate Armed Services Committee, in its report (S.Rept. 109-254 of May 9, 2006) on the
FY2007 defense authorization bill (S. 2766), stated:
The committee maintains its concern, expressed in the Senate report accompanying S. 1042
(S.Rept. 109-69) of the National Defense Authorization Act for Fiscal Year 2006, regarding
the declining size of the naval force and the reduction to the number of aircraft carriers. The
committee agrees, however, with the Navy’s determination that it is not feasible to maintain
12 operational aircraft carriers by restoring the USS John F. Kennedy (CV–67) to a
deployable, fully mission-capable platform. The committee believes that it is vital to the
national security of the United States that a fleet of at least 11 aircraft carriers be maintained
to support the National Military Strategy, and has taken extraordinary action to support the
CNO’s force structure plan by authorizing increased procurement for shipbuilding and,
specific to aircraft carriers, by authorizing additional advance procurement and incremental
funding for the construction of the first 3 CVN–21 class aircraft carriers.
Further, recognizing the increased need for timeliness of surge operations that today’s
smaller force structure places on the Fleet Response Plan, the committee reaffirms the
judgment that the Chief of Naval Operations, Admiral Clark, provided in testimony before
the Committee on Armed Services in February 2005, that the Atlantic Fleet should continue
to be dispersed in two homeports. (Page 380)
S.Rept. 109-254 also presented additional views of Senator Bill Nelson relating to the
homeporting of aircraft carriers on the Atlantic Coast. (See pages 528-529)
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The conference report (H.Rept. 109-702 of September 29, 2006) on the FY2007 defense
authorization bill (H.R. 5122) stated:
The conferees agree with the CNO statement in his letter dated August 14, 2006, to the
Ranking Member of the Committee on Armed Services of the Senate, that ‘‘Naval Station
Mayport and the many resources of the Jacksonville area remain vitally important to Navy
readiness,’’ and support the CNO commitment ‘‘to maintaining the infrastructure necessary
to support the strategic dispersal of the Atlantic Fleet at this key east coast port.’’ (Page 805)
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Appendix B. Excerpts from January 2009 Navy
Record of Decision (ROD)

This appendix presents excerpts from the January 2009 Navy Record of Decision (ROD)
document announcing the Navy’s desire to transfer a CVN to Mayport. The document stated in
part:
SUMMARY: The Department of the Navy (DON), after carefully weighing the strategic,
operational, and environmental consequences of the proposed action, announces its decision
to homeport one nuclear-powered aircraft carrier (CVN) at Naval Station (NAVSTA)
Mayport. Today’s decision does not relocate a specific CVN to NAVSTA Mayport. It does
initiate a multiyear process for developing operational, maintenance, and support facilities at
NAVSTA Mayport to support homeporting of one CVN. This multiyear process includes
implementing projects for dredging and dredged material disposal, construction of CVN
nuclear propulsion plant maintenance facilities, wharf improvements, transportation
improvements, and construction of a parking structure to replace existing parking that would
be displaced by development of the CVN nuclear propulsion plant maintenance facilities.
The projects necessary to create the capacity to support CVN homeporting could be
completed as early as 2014.40 No CVN homeport change will occur before operational,
maintenance, and support facility projects are completed. Selection of the CVN to be
homeported at NAVSTA Mayport would not occur until approximately one year prior to the
ship’s transfer to NAVSTA Mayport. Selection of a specific CVN for homeporting at
NAVSTA Mayport will be based upon then current operational needs, strategic
considerations, and maintenance cycles.
The DON decision to utilize the capacity at NAVSTA Mayport to homeport a CVN is the
culmination of a two and a half year process involving environmental analysis under the
National Environmental Policy Act (NEPA), identification of the recurring and nonrecurring
costs associated with homeporting surface ships at NAVSTA Mayport, and an assessment of
strategic concerns.
The DON environmental analysis included extensive studies regarding impacts associated
with dredging, facility construction, and homeport operations. The environmental analysis
undertaken by the DON included lengthy and detailed consultations with regulatory
agencies, such as the U.S. Fish and Wildlife Service (USFWS) and the National Marine
Fisheries Service (NMFS), regarding impacts to endangered and threatened species, and the
U.S. Army Corps of Engineers (USACE) and the Environmental Protection Agency (EPA)
regarding dredging operations and the in-water disposal of dredged materials. Public
awareness and participation were integral components of the Environmental Impact
Statement (EIS) process. The DON ensured that members of the public, state agencies, and
federal agencies had the opportunity to help define the scope of the DON’s analysis as well
as examine and consider the studies undertaken by the DON. Public review and comment on
the DON’s interpretation of those studies and the conclusions drawn from the DON’s
interpretation of associated data were robust.
The decision reached by the DON, as further explained later in this Record of Decision, is
based upon the DON’s environmental, operational, and strategic expertise and represents the

40 As mentioned earlier, this “as early as” date may have been pushed back by DOD’s announcement to delay a final
decision on whether to propose transferring a CVN to Mayport until it reviews the issue as part of its 2009-2010
Quadrennial Defense Review (QDR).
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best military judgment of the DON’s leadership. The need to develop a hedge against the
potentially crippling results of a catastrophic event was ultimately the determining factor in
this decision-making process. The consolidation of CVN capabilities in the Hampton Roads
area on the East Coast presents a unique set of risks. CVNs assigned to the West Coast are
spread among three homeports. Maintenance and repair infrastructure exists at three
locations as well. As a result, there are strategic options available to Pacific Fleet CVNs
should a catastrophic event occur. By contrast, NAVSTA Norfolk is homeport to all five of
the CVNs assigned to the Atlantic Fleet and the Hampton Roads area is the only East Coast
location where CVN maintenance and repair infrastructure exists. It is the only location in
the U.S. capable of CVN construction and refueling. The Hampton Roads area also houses
all Atlantic Fleet CVN trained crews and associated community support infrastructure. There
are no strategic options available outside the Hampton Roads area for Atlantic Fleet CVNs
should a catastrophic event occur....
ALTERNATIVES CONSIDERED: The Draft and Final EIS assessed the impacts of 12
action alternatives and the no action alternative. Consistent with the purpose and need for the
proposed action, the alternatives addressed only options for utilizing capacities at NAVSTA
Mayport for homeporting additional surface ships. Examination of homeporting options at
other geographic locations was not relevant to the established purpose and need, so no such
alternatives were considered. The 12 action alternatives evaluated a broad range of options
for homeporting surface ships at NAVSTA Mayport. The alternatives included ship types
currently homeported at NAVSTA Mayport: destroyers (DDGs), and frigates (FFGs), as well
as additional types of ships identified by the Chief of Naval Operations (CNO), including
amphibious assault ships (LHDs), amphibious transport dock ships (LPDs), dock landing
ships (LSDs), and a CVN.
In the Final EIS, the DON identified Alternative 4, as the Preferred Alternative. Alternative 4
involves homeporting one CVN at NAVSTA Mayport and included dredging, infrastructure
and wharf improvements, on-station road and parking improvements, and construction of
CVN nuclear propulsion plant maintenance facilities at NAVSTA Mayport. Factors that
influenced selection of Alternative 4 as the Preferred Alternative included impact analyses in
the EIS, estimated costs of implementation, including military construction and other
operation and sustainment costs, and strategic considerations.
Regulations implementing NEPA require the identification of the environmentally preferred
alternative. The environmentally preferred alternative for this EIS is Alternative 2,
homeporting two LHDs at NAVSTA Mayport. LHD homeporting would require no dredging
or other major construction activities compared to dredging and construction activities
required to implement the Preferred Alternative to homeport a single CVN. As such, the
Preferred Alternative (Alternative 4) would have greater environmental impact than the
environmentally preferred alternative (Alternative 2) on earth resources, water resources, air
quality, noise, biological resources, and utilities. While the environmentally preferred
alternative would have less environmental impact than the Preferred Alternative, it does not
address strategic concerns or reduce risks to critical Atlantic Fleet assets and infrastructure.
ENVIRONMENTAL IMPACTS: The EIS analyzed environmental impacts and the
potential magnitude of those impacts relative to the following categories of environmental
resources: earth resources, land and offshore use, water resources, air quality, noise,
biological resources, cultural resources, traffic, socioeconomics, general services, utilities,
and environmental health and safety. Analysis of these categories also included the
radiological aspects of CVN homeporting. Only environmental impacts to NAVSTA
Mayport and the project area were evaluated. There were no environmental impacts to the
human environment outside of NAVSTA Mayport and the project area that were interrelated
to the natural or physical environmental effects of the proposed action.
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The environmental impact of implementing each alternative was evaluated against the 2006
baseline. The baseline year 2006 best represents recent and historical operations at NAVSTA
Mayport, and 2014 represents the end-state year by which all alternatives evaluated in the
EIS could be implemented. Many impacts were found to be common among the
alternatives....
DECISION: After considering the environmental impacts analyzed in the EIS, the recurring
and nonrecurring costs associated with homeporting additional surface ships at NAVSTA
Mayport, and strategic implications of a second CVN homeport on the East Coast to support
the Atlantic Fleet, the DON elected to implement Alternative 4, the Preferred Alternative.
That alternative provides for homeporting one CVN at Naval Station (NAVSTA) Mayport.
The DON decision does not immediately relocate a specific CVN to NAVSTA Mayport. It
does initiate a multiyear process for developing operational, maintenance, and support
facilities at NAVSTA Mayport to support homeporting of one CVN. This multiyear process
includes implementing projects for dredging and dredged material disposal, construction of
CVN nuclear propulsion plant maintenance facilities, wharf improvements, transportation
improvements, and construction of a parking structure to replace existing parking that would
be displaced by development of the CVN nuclear propulsion plant maintenance facilities.
The projects necessary to create the capacity to support CVN homeporting could be
completed as early as 2014.
No CVN homeport change will occur before operational, maintenance, and support facility
projects are completed. Selection of the CVN to be homeported at NAVSTA Mayport would
not occur until approximately one year prior to the ship’s transfer to NAVSTA Mayport.
Selection of a specific CVN for homeporting at NAVSTA Mayport will be based upon then
current operational needs, strategic considerations, and maintenance cycles.
The most critical considerations in the DON’s decision-making process were the
environmental impacts associated with the action, recurring and nonrecurring costs
associated with changes in surface ship homeporting options, and strategic dispersal
considerations. The need to develop a hedge against the potentially crippling results of a
catastrophic event was ultimately the determining factor in this decision-making process.
The consolidation of CVN capabilities in the Hampton Roads area on the East Coast presents
a unique set of risks. CVNs assigned to the West Coast are spread among three homeports.
Maintenance and repair infrastructure exists at three locations as well. As a result, there are
strategic options available to Pacific Fleet CVNs if a catastrophic event occurred. By
contrast, NAVSTA Norfolk is homeport to all five of the CVNs assigned to the Atlantic
Fleet and the Hampton Roads area is the only East Coast location where CVN maintenance
and repair infrastructure exists. It is the only location in the U.S. capable of CVN
construction and refueling. The Hampton Roads area also houses all Atlantic Fleet CVN
trained crews and associated community support infrastructure. There are no strategic
options available outside the Hampton Roads area for Atlantic Fleet CVNs if a catastrophic
event occurred.
Environmental impacts: Environmental impacts were identified through studies and data
collection efforts. The information culled from the studies and collected data was assessed
and conclusions were drawn regarding the significance of environmental impacts. These
conclusions, along with the underlying studies and data, were the subject of discussions and
consultations with federal/state regulators over the course of the EIS process. This
interagency process led to identification of mitigation measures, where appropriate, to
address environmental impacts. Based on these consultations with regulators and their
subject matter experts, the DON has committed to implementation of specific mitigation
measures as outlined earlier in this Record of Decision. There are no environmental impacts
associated with homeporting a CVN at NAVSTA Mayport that cannot be appropriately
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addressed or mitigated, including impacts to endangered species such as the NARW, Florida
Manatee, and sea turtles.
Recurring and nonrecurring costs: The DON’s analysis and assessment of socioeconomic
impacts in the EIS associated with the range of alternatives addressed short-term and long-
term local economic impacts in the Mayport area. In addition to the socioeconomic impacts
considered in the EIS, recurring and onetime costs associated with changes to surface ship
homeporting were projected and considered in the DON’s decisionmaking process.
Recurring and nonrecurring costs for the preferred alternative are less than 10% of the cost of
a single CVN and less than 1% of the cost of the DON’s CVN assets. That investment in
homeport capacity at NAVSTA Mayport provides additional security for CVN assets and
enhances the DON’s ability to maintain its effectiveness at a time when the ability to address
contingencies and respond to the unexpected is essential. In terms of risk mitigation, DON
gains a dispersal capability and its benefits at a fraction of the cost of an aircraft carrier.
Recurring costs included costs associated with Sustainment, Restoration, and Modernization
(SRM), Base Operations Support (BOS) , training, air wing transportation, nuclear
maintenance labor, and Basic Allowance for Housing (BAH) for Sailors and their families.
Sustainment costs are for activities necessary to keep facilities in good condition and
therefore enable them to achieve their intended useful life. Restoration and Modernization
costs are life-cycle investments required to provide for recapitalized facilities that support
new missions, return facilities to good condition, and improve facilities beyond original
conditions or capabilities. BOS costs included Facilities Operations costs such as Utilities,
Facility Services, Facility Management, and Fire and Emergency Services.
Onetime costs included costs associated with MILCON projects (construction and Planning
and Design), onetime maintenance costs for management and Industrial Plant Equipment
(IPE) costs, and Permanent Change of Station (PCS) associated with the initial CVN
homeport assignment at NAVSTA Mayport. PCS costs are those costs associated with
moving the ship’s crew and dependents to NAVSTA Mayport. PCS costs were estimated
costs because the location from which crews and their families would be moved remains
undetermined.
Strategic dispersal: The strategic dispersal of surface ships, especially vital strategic assets
such as CVNs that serve our national interests in both peace and war, was assessed through
examination of potential vulnerabilities. These potential vulnerabilities were examined in the
context of operational, training and maintenance requirements of East Coast assets.
Strategic dispersal factors considered included: transit times to various deployment and
training areas; shipping traffic volumes and associated risk of a maritime accident; port force
protection postures and risk mitigation measures; integrated vulnerability and threat
assessments; historic aircraft carrier loading; physical pier capacity; nuclear maintenance
capability; homeporting options in response to a catastrophic event; geographic location of
the aircraft carrier aircraft squadrons; transit times from port to the open sea; historic sortie
rates due to hurricanes or other natural phenomena; and the risk to the ships, infrastructure
and personnel who man, service and repair aircraft carriers associated with natural or man-
made catastrophic events. In terms of these factors, the analysis concluded that the strategic
value of NAVSTA Norfolk and NAVSTA Mayport as CVN homeports essentially was
equal. The DON’s strategic analysis, however, also demonstrated the value of having both
NAVSTA Norfolk and NAVSTA Mayport as CVN homeports. Establishing CVN homeport
capacity at NAVSTA Mayport can be accomplished without any adverse impacts on
operations while at the same time providing the added strategic value of a second CVN
homeport on the East Coast.
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The most significant strategic advantage offered by development of an additional East Coast
CVN homeport is a hedge against a catastrophic event that may impact NAVSTA Norfolk,
the only existing CVN homeport for Atlantic Fleet CVNs. It is difficult to quantify the
likelihood of a catastrophic event, whether natural or man-made. Nonetheless, there is a need
to plan and prepare for any such event. That planning and preparation must address CVN
maintenance and repair infrastructure as well as operational considerations. The fact that
quantifying the likelihood of a catastrophic event is so difficult underscores the need to
ensure that our planning and preparation efforts do not underestimate or overlook the long-
term effects of such event. Hurricane Katrina is a clear and recent example. The level of
devastation in New Orleans in the aftermath of Hurricane Katrina was so extensive and so
pervasive that more than three years after Katrina hit, the New Orleans industrial
infrastructure, work force, and community support functions have not fully recovered.
The potential impact of similar man-made or natural catastrophic events in the Hampton
Roads area requires the DON to plan and prepare. A failure to do so presents an unacceptable
risk. The aircraft carriers of the United States DON are vital strategic assets that serve our
national interests in both peace and war. The President calls upon them for their unique
ability to provide both deterrence and combat support in times of crisis. Of the 11 aircraft
carriers currently in service, five are assigned to the Atlantic Fleet. NAVSTA Norfolk is
homeport to all five of the CVNs assigned to the Atlantic Fleet and the Hampton Roads area
is the only East Coast location where CVN maintenance and repair infrastructure exists. It is
the only location in the U.S. capable of CVN construction and refueling. The Hampton
Roads area also houses all Atlantic Fleet CVN trained crews and associated community
support infrastructure. A second CVN homeport on the East Coast will provide additional
CVN maintenance infrastructure, thereby providing added strategic value and allowing the
DON to extract the added operational value of two CVN homeports in meeting its national
defense obligations.
Homeporting a CVN at NAVSTA Mayport would provide strategic options in case of a
catastrophic event in the Hampton Roads area, and enhance distribution of CVN assets,
thereby reducing the risks to aircraft carriers and associated maintenance and repair
infrastructure supporting those crucial assets....
CONCLUSION: The decision to create the capacity to homeport a CVN at NAVSTA
Mayport represents the best military judgment of the DON’s leadership regarding strategic
considerations. In reaching that decision, the DON considered the environmental impacts
analyzed in the EIS, comments from regulatory agencies as well as those received from
members of the public, mitigation measures that would lessen the extent and severity of
environmental impacts, recurring and nonrecurring costs, and the strategic implications of
developing a second CVN homeport on the East Coast to support Atlantic Fleet operational,
training and maintenance needs.
There will be no significant adverse environmental impacts associated with the CVN
homeporting. That conclusion is based on the data collected and analyzed in the EIS, on
interagency consultations, and on the mitigation measures developed as part of that
consultation process.
The cost of developing a CVN homeport at NAVSTA Mayport was balanced against the
strategic need to create a hedge against a catastrophic event in the Hampton Roads area. The
cost of developing a CVN homeport at NAVSTA Mayport is more than offset by the added
security for CVN assets and enhanced operational effectiveness provided by the ability to
operate out of two homeports.
Ultimately, the need to develop a hedge against the potentially crippling results of a
catastrophic event was the driver behind the decision to homeport a CVN at NAVSTA
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Mayport. Developing a second CVN homeport on the East Coast not only reduces potential
risk to CVN assets through dispersal of those critical assets, it provides some maintenance
and repair infrastructure and ensures access to that infrastructure by CVNs deployed at the
time a catastrophic event in Hampton Roads occurred. Mayport allows DON to obtain the
advantages of fleet dispersal and survivability without impacting operational availability. On
the West Coast DON has accepted reduced operational availability in the interest of
dispersal. By homeporting CVNs in the Northwestern U.S., DON loses operational
availability during the additional transit time required to reach operational and training areas.
By establishing a second CVN homeport on the East Coast, DON can gain the dispersal
advantage without the increased transit time. The proximity to training areas and transit time
to operating areas is about equal from Norfolk and Mayport.
West Coast CVN homeports and maintenance facilities are not viable options in planning for
Atlantic Fleet CVN assets in the event a catastrophic event occurs in the Hampton Roads
area. The nuclear powered aircraft carriers are too large to transit the Panama Canal,
requiring a 12,700 nautical mile voyage around South America to reach the closest CVN
homeport on the West Coast at [41]San Diego.
Neither the DON, nor the nation, nor its citizens can wait for a catastrophic event to occur
before recognizing the potential impacts of such an event and appropriately planning and
preparing for continuity of operations. This lesson was learned all too well in the aftermath
of recent catastrophic events such as Hurricane Katrina. The DON looked at the possible
crippling effects - immediate and long-term - of a catastrophic event in the Hampton Roads
area and recognized its responsibility to develop a hedge against such an event. That hedge is
homeporting a CVN at NAVSTA Mayport and developing the requisite operational, training,
maintenance and support facilities.
Homeporting one CVN at NAVSTA Mayport best serves the interests of the DON and the
nation, and can be accomplished in a manner that keeps environmental impacts at a less than
significant level.42


41 At this point in the text, a handwritten note deletes the word “NAVSTA.”
42 Department of the Navy, Record of Decision for Homeporting of Additional Surface Ships at Naval Station Mayport,
Florida
, January 14, 2009, pp. 1-2, 5-6, 18-22, 31-32.

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Appendix C. Navy Data on Hurricane Risk
This appendix presents information that the Navy has provided regarding the risk of hurricanes at
Norfolk and Mayport.
Navy Briefing Slide
Figure C-1 is a Navy briefing slide on relative hurricane risk for the port of Norfolk and the port
of Jacksonville, which is near Mayport.
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Figure C-1. Navy Briefing Slide on Relative Hurricane Risk

Source: Slide entitled “Relative Hurricane Risk,” from Navy briefing entitled “Final Environmental Impact
Statement (FEIS) for the Proposed Homeporting of Additional Surface Ships at Naval Station Mayport, FL,”
November 18, 2008, presented to CRS on December 5, 2008.
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Excerpt from DOD Information Paper
In response to questions and requests for information from congressional offices, the Navy in
December 2008 provided, among other things, supplementary historical data regarding hurricanes
in the Hampton Roads area and Mayport and their effect on Navy facilities and ship operations.
The questions/requests for information regarding hurricanes, and the Navy’s responses, are
reproduced below.43
QUESTION/REQUEST: How much collateral damage did Norfolk and Mayport sustain from
hurricanes that did NOT make a direct hit over the analyzed time period of 1851-2006?
RESPONSE:
a. MAYPORT:
• Since 1995, 8 named storms—of which 1 was a hurricane—have had a CPA of
75 nm or closer to NAVSTA Mayport
• From 1851-2008, there were 51 tropical cyclones that were classified as
hurricanes at some point in their life that passed within 180 nm of Mayport. Of
these, 22 came within 50 nm.
• Collateral damage (back to 2004): $6.1M
b. NORFOLK:
• Since 1995, 15 named storms—of which 4 were hurricanes—came within 75 nm
or closer to NAVSTA Norfolk
• From 1851-2008, there were 54 tropical cyclones that were classified as
hurricanes at some point in their life that passed within 180 nm of Norfolk. Of
these, 14 came within 50 nm.
• Collateral damage (all hurricanes, direct hit and near miss back to 1999): $11.8M
c. Some ships undergoing maintenance must occasionally remain in port during hurricanes. A
review of records since the 2004 hurricane season indicated no resulting ship damage for those
ships remaining inport.
QUESTION/REQUEST: How much hurricane damage has NAVSTA Norfolk and NAVSTA
Mayport sustained over the time period analyzed?
RESPONSE: Historical hurricane damage costs available include:

43 Source: Department of Defense information paper responding to questions from congressional offices, dated
December 19, 2008, and provided to CRS on January 6, 2009, questions/requests 5 through 10. The reproduction here
omits the question/request numbers and incorporates some slight formatting changes to accommodate CRS report
formatting. NAVSTA means Naval Station (a home port), CPA means closest point of approach, nm means nautical
mile, M means millions (of dollars). The Navy informed CRS that this data accounts for all hurricanes that have
affected Mayport or Norfolk, including hurricanes that approached Mayport from the west. (Department of Defense
information paper responding to questions from CRS, dated December 23, 2008 and provided to CRS on January 6,
2009.)
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• Mayport:
• FY04: $1.2M
• FY05: $4.1M
• FY08: $0.8M
• Norfolk
• FY99: $1.0M
• FY03: $10.8M
QUESTION/REQUEST: How many evacuation orders (sorties) have been issued to Navy ships
at Norfolk and Mayport because of inclement weather? Provide historical data to the maximum
extent possible.
RESPONSE: Since 1995, ships at Mayport have sortied 6 times and ships at Norfolk have sortied
5 times:
a. Mayport:
i. Bertha (1996)
ii. Bonnie (1998)
iii. Floyd (1999)
iv. Charley (2004)
v. Ophelia (2005)
vi. Fay (2008)
b. Norfolk:
i. Felix (1995)
ii. Bertha (1996)
iii. Bonnie (1998)
iv. Floyd (1999)
v. Isabel (2003)




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Carrier Sorties due to Hurricanes
Dates
Units Affected
Type of Impact
Homeport
8-10 Sep 05
USS JOHN F KENNEDY
Dedicated sail, hurricane avoidance
Mayport
16-20 Sep 03
USS THEODORE ROOSEVELT
Extended underway, hurricane
avoidance
Norfolk
11-20 Sep 03
USS GEORGE WASHINGTON
Interrupted carrier qualifications,
hurricane avoidance
Norfolk
16-20 Sep 03
USS RONALD REAGAN
Dedicated sail, hurricane avoidance
Norfolk
22-27 Sep 02
USS HARRY S TRUMAN
Already underway for COMPTUEX,
hurricane avoidance
Norfolk
14-17 Sep 99
USS JOHN F KENNEDY
Dedicated underway 5 days prior to
deployment
Mayport
15-18 Sep 99
USS DWIGHT D EISENHOWER
Dedicated sail, hurricane avoidance
Norfolk
15-18 Sep 99
USS GEORGE WASHINGTON
Dedicated sail, hurricane avoidance
Norfolk
15-18 Sep 99
USS HARRY S TRUMAN
Dedicated sail, hurricane avoidance
Norfolk
25-28 Aug 98
USS ENTERPRISE
Dedicated sail, hurricane avoidance
Norfolk
22-26 Aug 98
USS JOHN F KENNEDY
Delayed return to homeport, hurricane
avoidance
Mayport
25-27 Aug 98
USS THEODORE ROOSEVELT
Dedicated sail, hurricane avoidance
Norfolk
15-19 Aug 95
USS AMERICA
Dedicated sail, hurricane avoidance
during POM
Norfolk
15-20 Aug 95
USS GEORGE WASHINGTON
Dedicated sail, hurricane avoidance
Norfolk
30 Aug-02 Sep
93
USS JOHN F KENNEDY
Dedicated sail, hurricane avoidance
Norfolk
24 Aug 92
USS FORRESTAL
Dedicated sail, hurricane avoidance
Pensacola
Notes:
Data prior to 1992 is incomplete for tracking of hurricane sorties.
QUESTION/REQUEST: Have any Navy ships remained pierside during past hurricane
evacuation orders? If so, what happened?
RESPONSE: No records exist that indicate any aircraft carriers were unable to sortie. Note:
Shipyards are designated “safe havens,” therefore CVNs in the shipyards are not required to
sortie. Recent examples of non-aircraft carriers remaining inport during hurricanes include:
a. In August 2005, the following ships were pierside at Northrop Grumman Shipbuilding—Ingalls
Operations and NGSB Avondale Operations during Hurricane Katrina:
i. DDG 98 (FORREST SHERMAN)
ii. DDG 100 (KIDD)
iii. LPD 17 (SAN ANTONIO)
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iv. LPD 19 (MESA VERDE)
v. LPD 18 (NEW ORLEANS)
LPD 17 and DDG 98 sustained minor damage during the storm and DDG 100 sustained
more extensive hull damage. The cost of repairs is classified as “Business Sensitive.”
b. During hurricanes Gustav and Ike in 2008, the following ships were pierside at NGSB
Avondale and NGSB Ingalls and did not sustain any damage:
i. LPD 20 (GREEN BAY)
ii. DDG 103 (TRUXTUN)
iii. DDG 105 (DEWEY)
QUESTION/REQUEST: Historically, how have hurricanes negatively affected CVN operations
on the East Coast?
RESPONSE: Hurricanes can and have affected aircraft carrier operations during all phases of the
carrier schedule. CVNs inport will sortie when directed by the Fleet Commander and conduct
hurricane avoidance. CVNs underway for training will suspend or cancel training evolutions and
maneuver to avoid the hurricane’s predicted track.
QUESTION/REQUEST: Compare the amount of time required to sortie ships from Norfolk and
Mayport.
RESPONSE: Following issuance of the sortie order, ships in Mayport require approximately 1
hour to reach the open sea and ships in Norfolk require between 4 to 4.5 hours to reach open sea.
QUESTION/REQUEST: When, if ever, has the Navy NOT been able to sortie ships?
RESPONSE: Ships in maintenance at Norfolk Naval Shipyard and Northrop Grumman Newport
News Shipbuilding do not sortie since the shipyards are considered safe havens for ships during
hurricanes. No records exist that indicate any aircraft carriers not in safe havens were unable to
sortie.
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Appendix D. Executive Summary of Paper From
Senator Webb’s Office

In January 2009, the office of Senator Jim Webb released a 29-page paper questioning the Navy’s
desire to transfer a CVN to Mayport. The entire paper is available for downloading from Senator
Webb’s website.44 The executive summary of the paper states:
Executive Summary
The Navy has made no compelling argument to justify its proposal to homeport a nuclear-
powered aircraft carrier at Naval Station Mayport. There is little or no evidence that the
Navy’s preferred homeporting alternative is supported by either strategic necessity or
economic logic. Given the unavoidable adverse impact that today’s economic crisis will have
on defense programs, the Navy would be irresponsible to incur costs (already projected to
exceed $600 million) for a poorly justified project to duplicate existing nuclear-support
facilities that the service itself describes as an “insurance policy.”
The Navy’s flawed and incomplete analysis does not demonstrate a strategic necessity or the
economic logic for homeporting a nuclear-powered aircraft carrier in Mayport. Of note:
There is no indication the Navy conducted a formal, comparative
threat/survivability intelligence assessment to validate its claim that dispersing a
nuclear-powered aircraft carrier to Mayport will reduce risk or increase operational
readiness.
The Navy has provided no documentation of a cohesive, focused assessment of
current and projected military threats for its homeporting proposal that included estimated
levels of risk, potential vulnerabilities, and the implications for survivability, consequence
management, and physical security programs;
The Coast Guard currently assesses the port-security risk for the Hampton
Roads region and the port of Jacksonville/Mayport to be the same. The Navy did not
request the U.S. Coast Guard to provide an independent assessment of maritime security risk
in Hampton Roads, Virginia., or Mayport, Florida. The U.S. Coast Guard has statutory
responsibilities for assessing maritime security risk in major U.S. seaports.
The concept of strategic dispersal was challenged by critics even at the height
of the Cold War. In 1986, for example, the GAO reported that the Navy’s decision to
disperse the fleet as part of its strategic homeporting plan was not based on a formal threat
analysis, deeming the conventional threat to U.S. ports as relatively low.
The Navy fails to acknowledge the more than $111-million investment federal
agencies have made to improve port security in Hampton Roads to mitigate
significantly the risk of a terrorist attack.

The Navy’s proposal is fiscally irresponsible. The Navy estimated that it had
$4.6 billion in unfunded budget priorities for fiscal year 2009. The Navy does not account
for the impact the project’s approximately $600 million to $1 billion cost would have on the
Navy’s inadequately funded accounts for shipbuilding and aircraft procurement, shore

44 The paper can be downloaded at http://webb.senate.gov/contact/homeport/
CriticalAssessmentMayportHomeporting.pdf
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readiness, and military construction. The proposal also runs counter to the Navy’s “Shore
Investment Strategy” which calls for consolidating the Navy’s shore footprint to save money
and improve physical security.
The Navy did not acknowledge that aircraft carriers homeported in Norfolk
are supported by multiple military and civilian airfields, including an outlying airfield
necessary to support carrier-qualification training requirements for the Atlantic Fleet
carrier air wings.
In 2006, the citizens of Jacksonville had the chance to reopen the Naval
Air Station Cecil Field for military use, but they voted not to do so.
The Navy issued its Final Environmental Impact Statement (FEIS) for
homeporting alternatives in Mayport prior to the receipt of other agencies’ statutory
biological assessments.
The Navy also sought to fast-track the environmental review
process so that it could issue its Record of Decision in early January. Virginia Governor
Timothy M. Kaine described the Navy’s FEIS as “legally insufficient and technically
flawed.”
Naval Station Norfolk is home to one of the largest regional concentrations of
naval and military installations in the world, but the Navy did not apparently assess the
impact that relocating a nuclear-powered aircraft carrier to Naval Station Mayport
would have on assigned crew members and their families.
Any assessment of the impact
of a permanent change of station should include all relevant training, career progression, sea-
shore rotation, permanent change of station, and quality-of-life factors.
There is no evidence the Navy evaluated the comparative advantages for the
private sector’s ship-repair industrial base in Jacksonville resulting from an alternative
homeporting arrangement encompassing a larger number of surface-combatant
warships.

It is my strong belief that no funds should be made available for the relocation of a nuclear-
powered aircraft carrier to Naval Station Mayport unless the Navy fully justifies such a move
in a comprehensive report to the appropriate congressional defense committees.45

45 The U.S. Navy’s Proposed Homeporting of Additional Surface Ships at Naval Station Mayport, Florida[:] A Critical
Assessment
, Office of Senator Jim Webb, January 2009, 29 pp. Emphasis as in the original.
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Appendix E. Statement From Representative
Crenshaw

A December 7, 2008, statement from Representative Ander Crenshaw that has been endorsed by
Senator Mel Martinez, Senator Bill Nelson, and Representative Corrine Brown states:
Recently, the Navy announced a decision to homeport a nuclear carrier at Naval Station
Mayport, Florida, establishing a second nuclear port on the east coast.46 The decision was
based on neither economic input nor political influence. It was a decision to protect our
strategic assets and sailors. A decision based on national security—pure and simple. The
facts supporting the Navy’s decision are overwhelming and simply irrefutable.
First of all, strategic dispersal has always been the Navy’s rule rather than the exception,
which is why there are three nuclear carrier homeports and maintenance facilities on the west
coast and not just one.
Yet, today, all 5 of the current east coast aircraft carriers, and the only nuclear maintenance
facility for these vessels, are located in the Norfolk area. This year, all 5 of our nuclear
aircraft carriers were in port simultaneously for 35 days. And most alarming, normal
operating schedules put 2 or more of our 5 aircraft carriers in port or undergoing routine
maintenance in Norfolk 81% of the time.
But, in today’s dangerous world, homeporting all of the east coast carriers in the same place
is irresponsible and it is a dereliction of duty to keep taking chances with the Atlantic fleet of
carriers especially when Norfolk is considered the most vulnerable port according to the
Department of Homeland Security’s assessment.
More troubling is the concern that if tragedy, man-made or nature-created, rendered the
Norfolk nuclear maintenance facility inoperative, our service personnel and ships would be
forced to journey almost a month around the tip of South America to receive such
maintenance on the west coast. That is a long time for a carrier with serious problems to be
underway.
Secondly, the Navy’s decision was based on years of research, national security concerns,
and military strategy. The Navy presented an irrefutable case for their decision in a recently
completed 2½ year Environmental Impact Study (EIS) to examine the feasibility of creating
a second nuclear carrier homeport. There was no rush to judgment. Every fact was reviewed
and deliberated. In fact, the final decision was not included in the Draft EIS which was
released earlier this year to guarantee the Navy enough time to review the strategic findings
and implications of the Navy’s entire fleet dispersal plan.
The Navy’s decision is a culmination of a series of objective and non-political proceedings
that led to the release of an exhaustive 1,200 page report detailing the facts and reasoning for
its decision. The Navy’s decision is sound and correctly focused on national security.
Finally, Mayport has a tremendous and unequivocal geographic benefit over the Norfolk
area. Ships homeported at Mayport have a huge advantage in their ability to reach
operational areas at sea. Norfolk based carriers have to travel under a bridge and over a

46 Note: This refers to the November 2008 Final Environmental Impact Statement (FEIS) on Mayport homeporting
alternatives, which identified homeporting a CVN at Mayport as the Navy’s preferred alternative.
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tunnel during an 8 hour journey to reach operational areas off the Virginia coast. A Mayport
based carrier takes only a 1 hour journey and is protected by a natural land barrier that
separates it from commercial shipping lanes—a feature that Norfolk doesn’t have. Those are
staggering differences, and further affirm the Navy’s decision.
I am more confident than ever that the Navy made the best decision to protect its service
personnel, our strongest tools of national defense—our aircraft carriers, and the American
public. It was made in a non-political fashion, ensuring that the ultimate decision was
strategic and based solely on national security.
Sixty-seven years ago today, over 2,400 brave men and women in uniform were tragically
killed and another 1,200 were wounded in the Japanese attack at Pearl Harbor. Over 21
Pacific Fleet ships were destroyed along with 75% of their aircraft.
Following the attacks, President Roosevelt appointed a commission which later found that
Admiral Husband Kimmel had been guilty of “dereliction of duty” and “errors of judgment.”
He was demoted and swiftly retired from service. December 7, 1941, taught this nation an
important lesson—do not concentrate your resources in one place. The Navy began a policy
of strategic dispersal of its assets.
On the commemoration of this horrific attack, it is troubling that anyone would attempt to
insert politics into a decision that has already been made and made without political
considerations. We should never place a price tag on national security - our brave men and
women deserve better than having their fate hinge upon a political or financial debate.
Anything short of implementing the Navy’s decision places us in the dangerous position of
ignoring history.47

Author Contact Information

Ronald O'Rourke

Specialist in Naval Affairs
rorourke@crs.loc.gov, 7-7610





47 December 7, 2008, statement from Representative Ander Crenshaw entitled “The Case for Two East Coast
Homeports is ‘Overwhelming and Simply Irrefutable.’”
The statement is available online at http://crenshaw.house.gov/
index.cfm?FuseAction=PressOffice.Columns&ContentRecord_id=02D8D4DF-19B9-B4B1-12C7-523FF8ADBD05
A copy of the statement was provided to CRS on February 24, 2009 by the office of Senator Bill Nelson. In providing
the statement to CRS, Senator Nelson’s office stated that it had spoken with the offices of Senator Martinez and
Representative Corrine Brown and confirmed those offices’ endorsement of the statement.
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