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Document 52012SC0369
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT Accompanying the document COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL Action Plan for reducing incidental catches of seabirds in fishing gears
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT Accompanying the document COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL Action Plan for reducing incidental catches of seabirds in fishing gears
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT Accompanying the document COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL Action Plan for reducing incidental catches of seabirds in fishing gears
/* SWD/2012/0369 final */
COMMISSION STAFF WORKING PAPER IMPACT ASSESSMENT Accompanying the document COMMUNICATION FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL Action Plan for reducing incidental catches of seabirds in fishing gears /* SWD/2012/0369 final */
This
report commits only the Commission departments involved in preparing it and in
no way prejudges the final form of any decision to be taken by the Commission TABLE OF CONTENTS 1........... Procedural issues and
consultation of interested parties.................................................... 6 1.1........ Organisation and timing................................................................................................... 6 1.2........ Adaptations to the report in line
with the comments of the Impact Assessment Board....... 7 1.3........ Consultation and expertise.............................................................................................. 8 2........... Problem definition......................................................................................................... 11 2.1........ Species Affected and Fisheries
Involved........................................................................ 11 2.1.1..... Longlines...................................................................................................................... 12 2.1.2..... Static Nets................................................................................................................... 13 2.1.3..... External Waters............................................................................................................ 14 2.1.4..... Other Gears................................................................................................................. 14 2.2........ Threat posed by bycatch............................................................................................... 15 2.3........ Current Management.................................................................................................... 17 2.3.1..... Fisheries Legislation...................................................................................................... 17 2.3.2..... Environmental Legislation.............................................................................................. 19 2.4........ Existing mitigation measures and
devices........................................................................ 21 2.5........ The affected stakeholders............................................................................................. 22 2.6........ Underlying Drivers........................................................................................................ 24 2.7........ Evolution of the problem............................................................................................... 26 2.8........ Necessity and Subsidiarity............................................................................................ 27 3........... Objectives.................................................................................................................... 27 3.1........ General objectives........................................................................................................ 27 3.2........ Specific objectives........................................................................................................ 27 3.3........ Reform of the CFP....................................................................................................... 29 4........... Policy options............................................................................................................... 30 4.1........ Option 1 – Status Quo.................................................................................................. 31 4.2........ Option 2 – EU-POA.................................................................................................... 32 4.3........ Option 3 – Stand-alone Regulation................................................................................ 34 5........... Analysis of impacts....................................................................................................... 36 5.1........ Option 1 – Status Quo.................................................................................................. 36 5.1.1..... Economic impacts......................................................................................................... 36 5.1.2..... Environmental impacts.................................................................................................. 38 5.1.3..... Social impacts.............................................................................................................. 38 5.1.4..... Impact on SMEs.......................................................................................................... 39 5.1.5..... Simplification and administrative
burden......................................................................... 39 5.2........ Option 2 – EU-POA.................................................................................................... 39 5.2.1..... Economic Impact.......................................................................................................... 39 5.2.2..... Environmental Impact................................................................................................... 43 5.2.3..... Social Impact............................................................................................................... 45 5.2.4..... Impacts on SMEs......................................................................................................... 46 5.2.5..... Simplification and administrative
burden......................................................................... 46 5.3........ Option 3 – Stand-alone regulation................................................................................. 48 5.3.1..... Economic impacts......................................................................................................... 48 5.3.2..... Environmental impacts.................................................................................................. 50 5.3.3..... Social impacts.............................................................................................................. 51 5.3.4..... Impacts on SMEs......................................................................................................... 52 5.3.5..... Simplification and administrative
burden......................................................................... 52 5.4........ Summary of impacts..................................................................................................... 54 6........... Comparing the options.................................................................................................. 57 6.1........ Qualitative Assessment by Option................................................................................. 57 6.2........ Ranking the options...................................................................................................... 58 7........... Monitoring and Evaluation............................................................................................. 59 ANNEX I – SUMMARY OF PUBLIC CONSULTATION...................................................... 61 ANNEX II – EXECUTIVE SUMMARY FROM MRAG STUDY............................................ 69 ANNEX III – ANNUAL SEABIRD BYCATCH FROM
SELECTED EU LONGLINE AND STATIC NET FISHERIES............................................................................................................................... 75 ANNEX IV – CONSERVATION STATUS OF SPECIES OF
CONSERVATION CONCERN AND VULNERABLE TO BYCATCH IN EU WATERS.............................................................................................. 76 ANNEX V – DIFFERENT TYPES OF LONGLINES AND
STATIC NETS........................... 78 ANNEX VI – DESCRIPTION OF INTERNATIONAL
AGREEMENTS AND CONVENTIONS 79 ANNEX VII NATIONAL MEASURES INTRODUCED INTO
CASE STUDY FISHERIES.. 82 ANNEX VIII - MAPS SHOWING THE AREAS MANAGED
BY RFMOs............................. 84 ANNEX IX - MITIGATION MEASURES INTRODUCED BY
TUNA RFMOS..................... 85 ANNEX X - MAP OF SPAS ESTABLISHED UNDER THE
BIRDS DIRECTIVE.................. 89 ANNEX XI – DESCRIPTION OF MITIGATION MEASURES.............................................. 90 ANNEX XII - INTERNATIONAL AGREEMENTS................................................................. 94 ANNEX XIII - ADMINISTRATIVE AND MANAGEMENT
COSTS..................................... 95 LIST
OF ACRONYMS ACAP || Agreement on the Conservation of Albatrosses and Petrels ACFA || Advisory Committee for Fisheries and Aquaculture ATF || Albatross Task Force BPFG || Best Practice Technical Guidelines BPUE || Bycatch Per Unit Effort BSRAC || Baltic Sea Regional Advisory Council CBD || The United Nations Convention on Biological Diversity CCAMLR || Commission for the Conservation of Antarctic Marine Living Resources CCSBT || Commission for the Conservation of Southern Bluefin Tuna CCTV || Closed Circuit Television CFP || Common Fisheries Policy CITES || Convention on International Trade in Endangered Species of Wild Fauna & Flora CMS || The Convention on the Conservation of Migratory Species of Wild Animals COFI || Committee on Fisheries (FAO) DCF || Data Collection Framework DCMAP || EU Multiannual Programme for Data Collection EC || European Commission EEZ || Exclusive Economic Zone EFF || European Fisheries Fund EMFF || European Maritime and Fisheries Fund EMPAS || Environmentally Sound Fisheries Management in Marine Protected Areas EU || European Union EU-POA || European Union Plan of Action FAO || Food and Agriculture Organisation of the United Nations FIMPAS || Fisheries Measures in Protected Areas FTE || Full-time Equivalent GES || Good Environmental Status HELCOM || Helsinki Commission of the Convention on the Protection of the Marine Environment of the Baltic Sea Area IASG || Impact Assessment Steering Group IATTC || Inter-American Tropical Tuna Commission IBA || Important Bird Area ICCAT || International Commission for the Conservation of Atlantic Tunas ICES || International Council for the Exploration of the Sea IOTC || Indian Ocean Tuna Commission IPOA || International Plan of Action IUCN || International Union for the Conservation of Nature IUU || Illegal, Unreported and Unreported MRAG || Marine Resources Assessment Group MSC || Marine Stewardship Council MSFD || Marine Strategy Framework Directive NGO || Non-Governmental Organisation NPOA || National Plan of Action NSRAC || North Sea Regional Advisory Council NWWRAC || North Western Waters Regional Advisory Council OSPAR || Oslo and Paris Commissions PBR || Potential Biological Removal PRAC || Pelagic Stocks Regional Advisory Council RFMO || Regional Fisheries Management Organisations RSPB || Royal Society for the Protection of Birds SAC || Special Area of Conservation SCM || EU Standard Cost Model SEAFO || South-East Atlantic Fisheries Organisation SEO || Sociedad Esapnõla de Ornitologia SFIA || Sea Fish Industry Authority SPA || Special Protection Area SPEA || Portuguese Society for the Study of Birds TFEU || Treaty on the Functioning of the European Union UNCLOS || United Nations Convention on the Law of the Sea UNCSD || United Nations Conference on Sustainable Development UNEP || United Nations Environment Programme UNFSA || United Nations Fish Stock Agreement VMS || Vessel Monitoring System WCPFC || Western and Central Pacific Fisheries Commission WGCSE || Working Group on Seabird Ecology (ICES) Lead DG: DG MARE Other departments involved: SG, DG ENV, DG EMPL, DG REGIO, DG ECFIN, DG TRADE, DG
CLIMA, DG RTD, DG ENTR. Agenda planning/WP reference: 2009/MARE/071 1. Procedural
issues and consultation of interested parties 1.1. Organisation
and timing This impact assessment concerns a proposal
for the development of a European Union Plan of Action for reducing the
incidental catches of seabirds in fishing gears (EU-POA). This is within the
framework of an International Plan of Action (IPOA) for
Reducing the Incidental Catches of Seabirds in Longline Fisheries[1] adopted in 1999 by the UN
Food and Agriculture Organisation (FAO) Committee on Fisheries (COFI). The European Commission, in fulfilment of its responsibilities as a
contracting party of international organisations acting in the context of the
IPOA, is committed to developing a Plan of Action for EU vessels fishing in EU
and non-EU waters. The proposal is provided for in ‘Agenda
Planning’ (2009/MARE/071), in the 2011 Annual Management Plan of the
Directorate-General for Maritime Affairs and Fisheries (DG MARE) and in the
Commission Work Programme (CWP) as a policy output
under the activity "Conservation, management and exploitation of living
aquatic resources", with the specific objective: "To improve
fishing methods with a view to reducing incidental and unwanted catches, and
the impacts on the marine environment". In order to support the work an internal DG
MARE Working Group was set up in July 2009 by the unit dealing with the Common
Fisheries Policy and Aquaculture (A2) and comprising representatives from the
Regional units – Atlantic (C2), Mediterranean and Black Sea (D2) and Baltic and
North Sea (E2) as well as from the unit dealing with International affairs and
Regional Fisheries Organisations (B1). An Impact Assessment Steering Group (IASG)
was formed in January 2010, which in addition to DG MARE was comprised of
representatives from nine Directorates-General, namely the Secretariat General,
DG ENV, DG EMPL, DG REGIO, DG ECFIN, DG TRADE, DG CLIMA, DG RTD and DG ENTR. The
IASG met on the 14 April 2010 and 2 September 2011 and worked on a revised
draft of the Impact Assessment by written consultation following the second
meeting. Between these meetings regular contact was maintained with the IASG
and in addition there were regular written exchanges with DG ENV given their
interest in this area. 1.2. Adaptations
to the report in line with the comments of the Impact Assessment Board DG MARE has welcomed the comments,
suggestions and questions of the Impact Assessment Board and has adapted the
report so as to address these. The report has been re-structured in line with
the comments received. On the basis of the first opinion received,
the report has been adapted in order to provide more evidence regarding the
existing problem and the unsustainability of current fishing practices with
respect to seabirds. This has involved the inclusion of additional information
from a background study[2] prepared to support this impact
assessment as well as other sources on the impact of fisheries on seabird
populations and the species at most risk into Sections 2.1 and 2.2. The
information on the affected sector has been expanded (Section 2.6) as has the
section on existing mitigation measures (Section 2.5). The objectives contained in Section 3.1 and
3.2 have been refined and indicative timelines included although these are very
much dependent on the outcome of the reform of the Common Fisheries Policy. The policy options included in Section 4 have
been expanded with the inclusion of an option based on the implementation of
the Birds and Habitats Directives. This has been considered and subsequently
discarded for the reasons given in Section 4. Under option 3 (Section 4.3), two
sub-options (sub-option 3a and 3b) have been considered to make this option
more realistic. The rationale for all of the various options has also been
expanded upon. The explanation of the costs for each
policy option contained in Sections 5.1.3, 5.2.3 & 5.3.3 and 5.1.4, 5.2.4
and 5.3.4 has been strengthened. However, a more substantive analysis detailing
regional and social/employment impacts has not been possible as there is only
limited information available. In any case the analysis carried out indicates
that the preferred option from this initiative will have only minimal impacts
on employment given the measures are largely voluntary and can be tailored to
specific fisheries. The monitoring and evaluation arrangements
have been revised in Section 7 to be clearer with indicative timelines and
indicators for measuring effectiveness included. Throughout the text additional indications
of the views expressed by stakeholders from the public consultation have been
added and the executive summary of the MRAG study has been included as an Annex
(Annex II) given it is the primary source of information for this IA. Two new
Annexes - Annex III "Annual seabird bycatch from selected EU longline and
static net fisheries" and IV "Conservation status of species of
conservation concern and vulnerable to bycatch in EU waters"- have also been
added to provide additional background information. On the basis of the second opinion received,
the report has been further adapted with refinement to the objectives and the
addition of specific actions and timelines. In the problem definition section all
relevant data on the incidence of seabird bycatch and seabird population levels
has been presented. However, it should be noted the available data is a
combination of very detailed for some species and fisheries, sporadic for
others and in many cases purely anecdotal. The options design in Section 4 has been
improved and clarifications added to Section 4.2 on the operation of option 2. The
views of the stakeholders have also been more transparently presented for each
of the policy options. Further clarification on the impacts on
SMEs has been added to Section 5.2.4 and also clarifications on the assumptions
for the costs in Sections 5.2.5 and 5.3.5 have been included. Comments on the
likely impacts on employment have been added by way of clarification. Table 12
(Summary of impacts) in Section 5.4 has been replaced with a new table. Further stakeholder views expressed in the
public consultation have been incorporated into the text and the justification
for not consulting the European Sectoral and Social Dialogue Committee has been
expanded. Finally several sections (2.3 and 2.4) have
been shortened and tables 3 and 4 in the original text have been moved to the Annexes
(Annex VII and Annex X). An additional annex has been included detailing the
international conventions and agreements relevant to this initiative (Annex
VI). 1.3. Consultation
and expertise This impact assessment was prepared based
on information received from the following sources: 1. Initial advice received
from the International Council for the Exploration of the Sea (ICES) in 2008[3] provided a general assessment
of the level of incidental catches of seabirds in EU waters, identified the
main species affected and the main fisheries responsible for seabird mortality
by area and by gear type. This advice has been updated in subsequent years by
the ICES Working Group on Seabird Ecology (WGSE)[4]. Information from other
countries such as Canada, who have developed National Plans of Action as well
as from Regional Fisheries Management Organisations (RFMOs) such as CCAMLR[5] and ICCAT[6] which have successfully implemented
mitigation measures were also taken into account in this initial assessment as
have the views and information suplied by the NGO Birdlife International given
their expertise in this area. 2. A public consultation was
launched in June 2010[7].
Stakeholders were invited to comment on the scope and objectives of a proposed
EU-Plan of Action for reducing incidental catches of seabirds, as well as on
the potential fields of action to be contained in the POA. These were presented
in a consultation document[8]
prepared by the Commission in support of the process. A total of 215 contributions were received[9] from fisheries and
environmental administrations from Member States, key stakeholders from the
fishing industry particularly the relevant Regional Advisory Councils (RACs),
NGOs, an international fishery management organisation and the general public. The majority of submissions (87%) came from the
general public across a range of Member States. All of them came from members
of the civil society rather than individual fishermen and tended to be less
technical or detailed in respect of the analysis of each field of action
presented in the consultation paper. They were mainly in the form of two
"chain e-mails", in response to campaigns launched by environmental
NGOs. Given these contributions were not technical they were given less weight
in assessing the contributions received. Of critical importance were the inputs of the
relevant RACs (North Western Waters (NWWRAC), North Sea (NSRAC), Baltic (BSRAC)
and Pelagic (PRAC)). The RACs were established to give stakeholders –
fishermen, vessel owners, processors, traders, fish farmers, environmental and
consumer organisations and others – a vehicle through which to feed
recommendations into CFP policy developments such as this initiative. Their
role is to submit opinions to the Commission and Member States on different
aspects of fisheries management and their views reflect the relevant sectors
and segments of the catching sector, as well as the interests of important NGOs
who are members of the RACs. Annex I contains a full summary of the findings
from the public consultation but the main conclusions
that had the general consensus of the stakeholders were as follows: (a)
There was support for the adoption of an EU-POA
for seabirds except from a group of fishermen's representative bodies who argued
that the measures proposed in the consultation paper are already covered by the
EU Birds Directive[10] through
the implementation of Special Protection Areas (SPAs). (b)
Measures should apply across the whole EU
fishing fleet operating in EU waters and in non-EU waters. (c)
Interactions between seabirds and fishing gears
need to be reassessed to identify existing knowledge gaps and make it easier to
define suitable and effective management tools. (d)
Longlines and static nets fisheries are the most
common causes of incidental mortality in EU waters and should be the focus of
any measures. Other fishing gears known to be responsible for incidental
catches of seabirds and should not be excluded (e.g. trawls and purse-seines). (e)
The choice and implementation of mitigation
measures should follow a step-by-step approach, balanced between the
conservation objectives, economic profitability and safe working conditions for
fishermen. (f)
Collection of data and reporting on incidental
catches of seabirds needs to be mandatory rather than voluntary and continued research
into mitigation measures and data collection are needed. (g)
Education, training and outreach should be made
available to fishermen and other stakeholders to raise awareness about the
problem of seabird bycatch and the practical solutions available. 3. An overview of the issues
relating to seabird bycatch was presented to the Advisory Committee for
Fisheries and Aquaculture (ACFA) on 6 July 2010. ACFA provides a forum for
dialogue with the fishing industry on policy issues. An outline of the
structure and content of possible measures to reduce seabird bycatch including
the adoption of an EU Plan of Action were discussed. During this meeting ten Member States[11]
expressed their support for the development of a Plan of Action. 4. In August 2010, under Framework Contract No FISH/2006/09 Lot 2, a background study was
externally contracted to
a consortium led by MRAG Limited2. The main
aim of this study was to assess the effectiveness of mitigation measures being
used globally, taking account of ICES advice and also recommendations contained
in the FAO Best Practice Technical Guidelines (BPTG) for IPOA/NPOA–seabirds[12]
(agreed by FAO-COFI in 2008). It was based on a number of case study fisheries
where significant seabird bycatch had been identifed by ICES. The case studies
were as follows: · Demersal longline fisheries in the Grand Sol to the west of Ireland;
· Pelagic and demersal longline fisheries in the western
Mediterranean; · Pelagic and demersal longline fisheries in the eastern Mediterranean
(Maltese and Greek waters); · Static net fisheries in the eastern and western Baltic; and · Static net fisheries in the eastern North Sea. Information was gathered through direct
consultation and interviews with fishermen operating in these areas as well as
from fisheries departments, researchers and NGOs working in related fields.
Collection and analysis of information focused on awareness of seabird bycatch,
estimate of bycatch levels, current mitigation methods (if any) deployed and
reaction of fishermen to the introduction of additional measures. The study
also assessed the cost associated with the use of potential mitigation measures
and the socio-economic and environmental impacts of their use in the specific
fisheries. This study was completed in June 2011 and provides much of the basis
for this Impact Assessment. The executive summary is provided in Annex II. It was not felt necessary to consult other
stakeholder groups directly such as the European Sectoral Social Dialogue
Committee on the sea fisheries sector specifically on the social impacts of
this initiative. The contributions received from the RACs as part of the public
consultation were detailed and all of the likely impacts including the social
and employment impacts. It is also worth underlining that the European
Transport Workers' Federation that represents the employees in the sea
fisheries sector social dialogue committee is also a member of the RACs. Moreover the interviews conducted with
individual fishermen as part of the previously mentioned background study2
were very informative and largely supported the views expressed in the public
consultation by the RACS on the anticipated impacts. Potential impacts on
employment from the introduction of mitigation measures were also briefly discussed
at the meeting held with ACFA. Major impacts on employment were not raised as a
significant issue in any of these separate consultations. The Commission’s minimum standards for
consultations have been met. The environmental, social and economic advice, the
results of the open consultation process (in particular the contributions from
the RACs), the conclusions from the consultation meeting, the outcome of the
discussions in the IASG and the recommendations from ICES and the MRAG study all
significantly contributed to the analysis of the policy options and of the
different policy measures discussed in this impact assessment. 2. Problem
definition 2.1. Species
Affected and Fisheries Involved ‘Seabirds’ is a term adopted in this report
to cover all species that primarily use intertidal (e.g. shorebirds), littoral
(e.g. sea ducks) and offshore areas (e.g. traditional ‘seabirds’). Interactions
between fisheries and seabirds can essentially be categorised in three ways.
Firstly, and most importantly, seabirds can be killed accidentally by some
kinds of fishing gears, notably when they predate on baited longlines as they
are deployed and when they are caught in static nets set near the surface.
Secondly, fishing can result in discards of dead fish which can provide
abundant food for seabirds in some instances, at times leading to substantial
increases in the numbers of some bird species in those areas. Thirdly, fishing
can deplete fish stocks on which seabirds feed. This initiative deals solely
with the interaction of seabirds with fishing gears leading to incidental
bycatch. ICES estimates conservatively that the EU
fishing fleet is responsible for the death of c. 200,000 seabirds annually in
EU and external waters4 but indicates that there is a paucity of accurate
data on levels of incidental catches. This presents a challenge in assessing
the impact of fisheries on these species and reflects the lack of systematic
monitoring and reporting on incidental catches in fisheries. However, based on
the ICES advice, the data that is available indicates seabird mortality is
substantial in a number of areas within EU and non-EU fisheries and for a
number of species, some of which are classified as being threatened or
endangered. Seabird species are generally long-lived
and their populations are highly sensitive to changes in adult survival. Therefore
mortality induced by incidental capture in fisheries is a significant danger to
the populations of these species[13]. Of
346 known species of seabirds, nearly half (47%; 52% of those with known
trends) are known or suspected to be experiencing population declines13.
All evidence indicates that over the last 20 years, seabirds have had a substantially
poorer conservation status than non-seabirds and that their populations have
deteriorated faster over this period compared to other species13. The MRAG study2 indicates that at
least 34 of these species are caught incidentally as bycatch in EU waters due
to the overlap between fishing activity and the spatial distributions of these
species. Annex III provides a detailed breakdown of bycatch in the fisheries
used as case studies in the study by way of illustration of the extent of the
problem. All available scientific information and
also the majority of stakeholders in the public consultation highlight
longlines and static nets as the gears with the highest seabird bycatch in EU
waters. Interactions with these gears mainly occur during foraging and this behaviour
determines their vulnerability to being caught in these fishing gears. In the case of longline fisheries, species
that plunge dive or pursuit dive are particularly vulnerable to being caught
during setting or hauling of longlines as they are able to access bait even at
substantial depths under the surface. This behaviour is exhibitied in
particular by shearwaters, gannets and auks. Surface-seizing birds such as
gulls and fulmars are also vulnerable, as the baited hooks can take some time
to sink during setting2. In static net fisheries, birds that are
most vulnerable are mostly coastal species that dive from the surface to either
forage on the bottom or pursue prey through the water column. This foraging
behaviour is common amongst species such as sea ducks, diving ducks,
divers/loons, grebes, cormorants and auks2. Annex IV provides a complete list of the
species most at risk and their current conservation status in EU waters as well
as an indication of the fisheries in which they are reported to be incidentally
caught. 2.1.1. Longlines Extensive pelagic and demersal longline
fisheries operate in EU waters to the north, west and south-west of Ireland,
off Madeira and the Azores, as well as in the eastern and western
Mediterranean. Pelagic longlines are used to target large migratory species
such as tunas, swordfish and pelagic sharks in waters off the continental
shelf. Demersal longlines are used to target species such as Greenland halibut,
cod, hake, ling, tusk and sea bream in both coastal and offshore waters. Even
though there are differences in their operation and gear configurations, there
is evidence of incidental seabird bycatch in both types of longline fisheries. Annex
V illustrates the different types of longline gears used. ICES reports that 20 species of seabirds
interact with longline fisheries in EU waters, principally in the Mediterranean
pelagic and demersal longline fisheries and the North-east Atlantic (Gran Sol)
demersal longline fishery, although ICES[14] reports bycatch of seabird in
almost all EU longline fisheries. MRAG2
provide annual estimates of seabird bycatch in the case study fisheries. In the
dermersal longline fisheries in the Mediterranean and Gran Sol looked at,
bycatch is estimated at 44,700 ± 19,373 while for the pelagic longline fisheries
in the Mediterranean they estimate bycatch at 9,231 ± 4,029. Four species are notable for their high
conservation status with moderate to high frequency of capture in longline gear
relative to their populations. The Balearic Shearwater
(Puffinus mauretanicus) is classed by the IUCN as Critically Endangered
species, meaning it has been evaluated to have a very high risk of extinction
in the wild. Three others, the
Sooty shearwater (Puffinus griseus), Yelkouan shearwater (Puffinus
yelkouan) and Audouin's gull (Larus audouinii) are classified as
Near Threatened meaning the populations are in moderately rapid decline
globally. In addition to these species a further five
are listed in the Birds Directive10 as having
unfavourable conservation status requiring "special
conservation measures" due to
declines in localised populations. These include the Corys shearwater (Calonectris
diomedea) and Mediterranean gull (Larus melanocephalus) in the
Mediterranean and the Black-legged kittiwake (Rissa tridactyla), Black
guillemot (Cepphus grylle) and Manx shearwater (Puffinus puffinus) in
the NE Atlantic2. For all of these
species significant levels of bycatch are reported both in the MRAG study2
and by ICES3. Several other species - the Yellow-legged
gull (Larus michahellis) in the Mediterranean and the Northern fulmar (Fulmarus
glacialis), Great shearwater (Puffinus gravis) and Northern gannet (Morus
bassanus) in the NE Atlantic have high incidental catches and ICES reports
that the sheer scale of the numbers caught in longline
fisheries is cause for concern even though the populations of these species are
relatively stable3,4,4. 2.1.2. Static
Nets Static nets, encompassing gillnets,
entangling nets, trammel nets and driftnets are widely used in EU fisheries to
target a range of demersal species, including cod, hake, turbot, bass, mullet,
rays and shellfish such as crawfish, as well as pelagic species such as
herring, sprat and mackerel. They are also used in coastal lakes and estuaries
to target freshwater species such as perch, zander and bream where there are
interactions with certain intertidal and littoral seabird species. A range of
static nets with varying constructions, mesh sizes and soak times depending on
the target species are used. Annex V illustrates the different types of static
nets commonly deployed. Static net fisheries tend to be seasonal
and interact with a wide range of seabird species. Fisheries in the Baltic Sea
and North Sea are considered to be the biggest contributors to bycatch in EU
waters although bycatch is not confined just too static net fisheries in the
Baltic and North Sea. ICES14 report bycatch of seabirds in static
net fisheries throughout EU waters. This includes waters off the south-west
England, off the north-west coast of Ireland, the northern and western North
Sea and off northwest Spain. All of these fisheries are characterised by
comprising large numbers of small vessels. A recent review[15] has been undertaken of 30 studies reporting seabird bycatch in order
to assess the scale of the problem and the potential impacts on bird populations
in the Baltic Sea and North Sea (this included the coastal lakes Ijsselmeer and
Markermeerin). While the cumulative annual bycatch estimate (made up mainly of
divers, grebes, sea ducks, diving ducks, auks and cormorants) from this survey
was 90,000 birds, this was considered to be ‘a substantial underestimate’. The
authors conclude it more likely that between 100,000 and 200,000 birds are
killed in static nets fisheries in the region each year. MRAG2
estimate bycatch in these fisheries at 95,440 ± 19,076. Several species in the region are at
immediate risk and subject to international legal protection2. The
Steller’s eider (Polysticta stelleri) has a global status of
‘Vulnerable’, meaning it has been evaluated to have a high risk of extinction
in the wild. The Black‐throated Diver (Gavia arctica) also has a European IUCN Red
List category of "Vulnerable" although is listed as "Least
Concern" globally. The Common poachard (Aythya farina), Red-throated
diver (Gavia stellata), Slavonian grebe (Podiceps auritus),
Long-tailed duck (Clangula hyemalis), Greater scaup (Aythya marila), Common guillemot (Uria aalge),
Black guillemot (Cepphus grille), Tufted duck (Aythya
fuligula), Black scoter (Melanitta nigra), Velvet scoter (Melanitta
fusca) and smew (Mergellus albellus) are all
listed in the Birds Directive as being "species of European concern"
with reported bycatch in static net fisheries in the Baltic and North Sea. 2.1.3. External
Waters In non-EU waters, bycatch mainly occurs in
longline fisheries. According to a recent study on global bycatch, 17 of the 22 known species of albatross are threatened with
extinction[16],
with the key threat to these species recognised to be longline fisheries. A
further 7 species of petrel (Procellaria and Macronectes spp.)
listed under the Agreement on the Conservation of Albatrosses and Petrels
(ACAP), face similar threats[17].
Incidental mortality of
these species has been recorded in 28 legal fisheries and from 14 different
nations including France, Spain and the UK. These Procellariiform
species are extremely wide-ranging, and their distributions overlap
considerably with areas targeted by the world’s fishing fleets[18]. The populations are highly
susceptible to increases in adult mortality. For already highly globally
threatened species, such as the Endangered Amsterdam albatross (Diomedea
amsterdamenis) and the Critically Endangered Tristan albatross (Diomedea
dabbenena), the impact of bycatch has been highlighted as a driving factor
in population declines16. A recent review on the threat to seabirds puts
bycatch firmly as the primary causes of adult mortality and assesses that
bycatch is a threat to even relatively common species such as black-browed
albatross (Thalassarche melanophrys) and black-footed albatross (Phoebastria
nigripes) 16. 2.1.4. Other
Gears There are also reports globally of
incidental catches in trawl and purse seine fisheries but almost no information
is available on the extent in EU waters. ICES report northern gannets present
as bycatch in pelagic trawl fisheries operating off the north and
north-east coasts of Scotland4. An extrapolation from one study to
total fishing effort in these fisheries estimated around 780 gannets may have
been caught in that year4. Significant bycatch events are well
documented in numerous trawl fleets outside of EU waters. For example, data
collected in the South African hake (Merluccius spp.) fleet from
2004–2005, indicated a bycatch of around 18,000 birds4..They
reported that 85% of mortality resulted from birds being killed by interactions
with warp cables (i.e. wings being wrapped around the cable resulting in
drowning), with 15% resulting from birds becoming entangled in the nets
themselves. Given the level of trawling activity within EU waters, it is safe
to assume there must be some similar interactions particularly with the large
gull species that are common in EU waters14. Evidence is emerging that purse seines can
also take significant bycatch of species such as shearwaters. A questionnaire
survey carried out in 2008/20009 in Portuguese ports showed purse seines to
have taken the highest proportion (45%) of the Critically Endangered Balearic
shearwaters compared to any other fishing gears, including longlines and static
nets in this region4. Bycatch with these gear types was
highlighted in the public consultation by a number of NGOs and national
administrations as being an emerging problem. 2.2. Threat
posed by bycatch The issue of seabird bycatch has only been
apparent for about two decades. Nevertheless, seabird bycatch is regarded by
many, along with the impacts of invasive alien species (e.g. rodents), as the
most pervasive and immediate threat to many seabird species in both coastal
waters and on the High Seas13. Other threats to seabird species include
human disturbance, commercial development, hunting and pollution but
assessing the contribution of the different
anthropogenic threats including bycatch to seabird mortality is a complex and
somewhat subjective task given the lack of knowledge on population levels, distribution
of seabird species, threat vulnerability and overall conservation status. Bycatch estimates are available for a
number of fisheries in both EU and non-EU waters but as MRAG2 point
out, generating estimates of bycatch has limited application unless some
inference can be made about the impact of bycatch on the seabird populations
involved. Currently, however, there are no guidelines defining bird bycatch
limits or other mortality levels that could be deemed as sustainable at either
population or geographic scale in Europe15. Therefore while many
studies have established that bycatch mortality for some seabird species is at
levels that have potentially serious impacts, and in some cases are clearly
unsustainable for known or estimated populations, establishing safe levels of
bycatch for most species is not possible. One approach that has been considered to
define such safe levels of incidental catches is using Potential Biological
Removal or PBR15. PBRs can be used to estimate the additional mortality a population might be able to
sustain, over and above natural mortality which includes the relative impact of
bycatch on populations[19].
This approach was first used to assess the impact of fisheries on seabirds
using the example of white-chinned petrels which were frequently caught in
longline fisheries in the Southern Ocean[20].
It has since been applied to other species including some in EU waters. Using
this information, MRAG2 provide PBR estimates for five species frequently
caught in longline and static net fisheries in EU waters and compared these with
annual bycatch estimates and populations to provide proportion of mortality
related to bycatch. The results of this analysis are shown in Tables 1 and 2. In the case of the Balearic and Cory's
shearwater, comparing the PBR estimates with annual bycatch illustrates the
vulnerability of these species to additional human-induced mortality. For the
Balearic shearwater the PBR estimate is very low and therefore even very low
levels of bycatch are considered a threat to the population. For Cory's
shearwater the estimates are considerably larger, and although this species is
considered to be more abundant, it is likely to be impacted across a much wider
geographical range than the Balearic shearwater. Therefore according to the
MRAG analysis2, it
is likely to be vulnerable when bycatch from all EU longline fisheries are aggregated
together. Moreover, in the Mediterranean this species is reported to suffer
additional mortality from predation by rats. It is highly likely that bycatch
in pelagic and demersal longline fisheries, in combination with this predation,
is a serious threat to the Cory's shearwater population in the Mediterranean3. Table 1 PBR
against bycatch for selected species caught in longline fisheries in the
Mediterranean and NE Atlantic Species || Total population estimates || Potential Biological Removal Rate (PBR) || Annual Bycatch estimates Balearic shearwater || 25,000 || 438 (406-465 95% CL) || ~250 (57% of PBR) Cory's shearwater || 870,000 || 31,855 || ~20,000 (63% of PBR) Source: MRAG
study In the case of two species considered in
the Baltic - Greater scaup and Common guillemot - the PBR estimates in table 2 show
that the current levels of mortality from static net fisheries are significant.
When combined with other forms of mortality (e.g. hunting) fishing poses a serious
threat to the populations. In the case of the common guillemot the estimated
bycatch is in excess of the PBR by 2.5 times although there are reports that
the actual population size of this species is much bigger and the actual PBR
could be an underestimate, meaning bycatch may not be impacting on the
population as much as indicated. Nevertheless undoubtedly bycatch contributes
significantly to the overall anthropogenic mortality for this species. For the long-tailed duck the bycatch
estimates represent only a small proportion of total mortality expressed by the
PBR. This species faces threats from other sources of mortality, such as
hunting and oil pollution and fisheries induced mortality may have less of an
impact on the population. Nonetheless reports15 suggest the
population of long-tailed duck has declined in the Baltic in areas where there
is high fishing activity and there are concerns that the level of bycatch is significantly
underestimated15. Table 2 PBR
against bycatch for selected species caught in static net fisheries in the
Baltic Species || Total population estimates || Potential Biological Removal Rate (PBR) || Annual Bycatch estimates Long-tailed duck || 3.02 x 106 || 113,000 (75,000-136,000 95% CL) || 24,000 (21% of PBR) Greater scaup || 204,000 || 11,000 (8,900-13,100 95% CL) || 6,500 (59% of PBR) Common guillemot || 36,000 || 620 (520-700 95% CL) || 1,500 (241% of PBR) Source: MRAG
& Zydelis et al., 200915 These are several examples that illustrate
the high level of mortality caused by bycatch on the species considered. Unfortunately
due to a lack of accurate population and/or bycatch estimates it is not
possible to provide PBR estimates for the 20 or more other species of
conservation concern that are reported to have significant levels of bycatch in
EU waters. ICES14 have committed to providing such estimates for
more seabird species in coming years. According to the MRAG study2 it is felt this is the most
appropriate method of assessing the threat of bycatch on seabird populations
currently available although it has limitations and can provide a misleading
and understated measure of actual impact if interpreted wrongly. This has been
highlighted by Birdlife as a weakness in using this approach[21].
2.3. Current Management Management measures to protect seabirds are
spread across a wide range of fisheries and environmental legislation as well
as being included in a number of international Conventions and Agreements. There
is a combination of binding and non-binding measures specifically tailored to
reducing seabird bycatch in different fisheries and others where the protection
of seabirds is included in the context of broader ecosystem management objectives
of reducing fisheries impacts. A full description of the various international
Conventions and Agreements is given in Annex VI. 2.3.1. Fisheries
Legislation In terms of fisheries legislation the
interaction of seabirds with fishing activities falls under the overarching
objectives of the Common Fisheries Policy (CFP)[22], which points to the need to
minimise the impacts of fishing activities on marine ecosystems. However, other than a closed area to protect seabirds in the sandeel fishery
in the North Sea included in the current technical measures regulations[23], no other specific legislation
to protect seabirds from adverse impacts of fishing activities is in place in
EU waters. Furthermore there is no formal obligation
for fishermen to report these incidental catches nor a formal obligation for
Member States to collect this information under the current EU Data Collection
Framework (DCF)[24].
At a national level, however, recognising
the problem, several Member States have introduced measures or developed Codes
of Conduct to reduce seabird bycatch in specific areas or fisheries. These
measures are a mixture of gear-based and operational mitigation measures, closed
or restricted areas and restrictions on fishing effort. The actual
effectiveness of these measures is poorly understood as few, if any, have been properly
assessed but in at least one case in the North Sea (i.e. Ijsselsmeer and Markermerrin
lakes) significant reductions in bycatch are reported as a result of the
measures. Annex VII summarises the national measures taken in the case study
fisheries used in the MRAG study2. The situation in fisheries in non-EU waters
in which EU vessels operate is more advanced in terms of seabird protection. In
these waters the Regional Fisheries Management Organisations (RFMOs) are key
for the conservation and mangement of seabirds with RFMOs having been given
explicit responsibilities under the UN Fish Stocks Agreement (UNFSA)[25] for minimising bycatch in
their fisheries. To date, the majority of RFMOs have adopted some form of
mitigation measures aimed at avoiding seabird mortality in longline fisheries. As
a contracting party to many RFMOs, the EU is bound to implement those measures.
The EU has also made a number of commitments
related to the principles of sustainable development and others more
specifically related to the management of the shared ocean resources, including
species at conservation risk which are relevant to seabirds. These include: –
The United Nations Convention on the Law of the
Sea (UNCLOS)[26]
–
The United Nations Convention
on Biological Diversity (CBD)[27]
–
The Convention on the
Conservation of Migratory Species of Wild Animals (also known as CMS or Bonn
Convention)[28] Under the auspices of
CMS there is an Agreement on the Conservation of
Albatrosses and Petrels (ACAP)[29].
This is a legally binding international treaty whose objective is to achieve
and maintain a favourable conservation status for albatrosses and petrels by addressing threats on land and at-sea. Bycatch
is regarded as the primary threat for this group of species. In line with the ACAP, measures adopted by
the Commission for the Conservation of Antarctic Marine Living Resources
(CCAMLR) have proven to be the most comprehensive with the result that incidental
catches of seabirds in the Antarctic in the demersal longline fisheries for toothfish have been eliminated to all intents and purposes. These measures are
transposed into EU law through Regulation (EC) No 600/2004[30] and comprise the mandatory use
of streamer‐lines, prohibition of discharge of waste during setting and
hauling operations, line weighting and seasonal closure of high risk areas.
Recording bird bycatch is closely monitored on each participating vessel by an
independent fisheries observer and reviewed on an annual basis through the
CCAMLR Working Group for Incidental Mortality Associated with Fishing (WG‐IMAF). As a direct result of implementing these
measures, the number of incidental mortality of seabirds with demersal longline
vessels declined dramatically from approximately 6,500 in 1996 to less than 100
in 2002 and zero in 2007. These measures are discussed
in more detail in Section 5. Other RFMOs have attempted to implement similar
measures but with varying degrees of effectiveness. These include: ·
The Indian Ocean Tuna Commission (IOTC); ·
Commission for the Conservation of Southern
Bluefin Tuna (CCSBT); ·
Inter-American Tropical Tuna Commission (IATTC); ·
Western and Central Pacific Fisheries Commission
(WCPFC); ·
International Commission for the Conservation of
Atlantic Tunas (ICCAT); and ·
South-East Atlantic Fisheries Organisation
(SEAFO). Annex VIII shows the areas covered by the
different RFMOs while Annex IX provides a list of measures currently
implemented within the relevant RFMOs. 2.3.2. Environmental Legislation Other than fisheries legislation, protection
of non-target species such as seabirds is provided under EU environmental
policy and in particular by the Birds10 and Habitats Directives[31] and the Marine Strategy
Framework Directive (MSFD)[32]. The full implementation of these Directives is part of the EU’s
response to its commitments under the UN Convention on Biological Diversity[33], and is reinforced by the commitment made by EU Heads of State
"to halt the loss of biodiversity [in the EU] by 2010"; it is further
reiterated in the EU Biodiversity Strategy to 2020[34]. The key measure established by the Birds
Directive is a general scheme of protection for all wild birds prohibiting
various acts including, most relevant to fisheries, deliberate killing or
capture by any method[35].
The Birds and Habitats Directives also
establish the Natura 2000 network of protected areas, which embraces sites
designated under any of the Directives concerned – Special Protection Areas (SPAs)
established under the Birds Directive and Special Areas of Conservation (SACs)
established under the Habitats Directive. SPAs designated under the Birds Directive
are of most relevance in providing explicit protection for seabirds from
interactions with fishing gears. SACs designated under the Habitats Directive
are designed specifically to protect listed habitats and other species of
conservation concern (e.g. marine mammals) rather than seabirds but as they may
overlap SPAs or cover areas where seabirds may forage for food they also provide
protection to seabirds indirectly. As of February 2011, under the Birds
Directive, a total of 936 SPAs covering an area of 122,000km² have been
established in marine areas. A map showing the SPA network is included in Annex
X. Most of these marine SPAs are in inshore waters or mudflats and have limited
interaction with fisheries. Increasingly, however, coastal and offshore SPAs
are also being designated and Member States will need to include fisheries
management measures to ensure the favourable conservation status of protected
birds in these sites. The German EMPAS[36]
and Dutch FIMPAS[37]
processes are two such examples. The measures they have identified are varied
and range from temporal to spatial closures to specific measures for gear-types
and fisheries but the process for agreeing these measures given multiple Member
States and stakeholders can be involved continues to be slow. Nonetheless, the
development of such management measures will be a key component in providing
protection for seabirds in the future and should be extended to Important Bird Areas
(IBA) identified by Birdlife International[38] as well as in SPAs. The Directives also
have built-in reporting requirements. Article 12 of the Birds Directive
requires Member States to report every three years on the implementation of
national provisions taken under the Directive. Under the Habitats Directive, monitoring of conservation
status is an obligation arising from Article 11 of the Habitats Directive for
all habitats (as listed in Annex I of the Birds Directive) and species (as
listed in Annex II, IV and V of the Directive) of Union interest; consequently
this provision is not restricted to Natura 2000 sites and data need to be
collected both in and outside the Natura 2000 network to achieve a full
appreciation of conservation status. The main results of this monitoring, along
with progress made with
implementation have to be reported
to the Commission every six years according to Article 17 of the Directive. Similar
data reporting requirements on the status and trends of bird populations are
currently being introduced in order to achieve a streamlined reporting system.
Notwithstanding this, reporting under the Directives is not at a sufficient
resolution to distinguish the threats from different anthropogenic activities
in relation to specific populations so the value of these reports in
establishing the actual impact of bycatch is limited. The MSFD aims to bring
coherence between different policies and foster the integration of
environmental concerns into other policies, such as the CFP. Under the MSFD protection of seabirds is recognised as a requirement
that will contribute towards the achievement of Good Environmental Status (GES).
Implementation of the MFSD is a
legal requirement under the TFEU and dedicated measures to protect seabirds are
implicitly required in compliance with the Directive. It does not propose
specific monitoring or mitigation measures but simply specifies long-term
targets and indictors for measuring progress in achieving GES. It's relevance
is to provide a basis for framing management objectives in fisheries
legislation for issues such as seabird bycatch. In the context of the MFSD, the issue of seabird bycatch is also
covered within the framework of Regional Sea Conventions on marine environment,
in particular OSPAR[39],
HELCOM[40]
and the Barcelona Convention[41]. All of this Conventions contain objectives relating to the
protection of biologically sensitive species including seabirds although again
do not necessarily contain specific monitoring requirements or mitigation
measures. 2.4. Existing
mitigation measures and devices There is a range of mitigation measures which have been developed.
Some of these have been shown to be highly effective at reducing seabird
bycatch. Annex XI provides a more detailed description of these measures and
whether or not they are currently in commercial use. They can be split between specific measures
by fishing method and measures with broad applicability across multiple fishing
gears. Most have been developed to reduce bycatch in
longline fisheries and these can be divided into four main categories: (2)
Avoidance of fishing in areas and/or at times
when seabird interactions are most likely and intense (night setting, area and
seasonal closures). (3)
Limiting bird access to baited hooks (weighted
lines and side-setting). (4)
Deterring birds from taking baited hooks
(streamer (bird-scaring) lines, acoustic deterrents, water cannon). (5)
Reducing the attractiveness or visibility of the
baited hooks (dumping of offal and artificial baits). Mitigation measures tested in static net
fisheries are fewer in number. Two methods have been proposed and tested to
alert seabirds to the presence of static nets and thereby avoid collision[42]. One method is to increase the
visibility of the net (visual alerts), and the other method is to attach
acoustic deterrents (pingers) to nets. Encounters with static nets may also be
reduced by setting nets deeper than the diving depth of seabirds. None of these
methods are widely used currently. MRAG2 found that the measures for longline fisheries and the dual measures
are effective as long but fishery specific. Experience in CCAMLR and several
other longline fisheries in external waters have shown the effectiveness of
these measures is enhanced if several simple measures (e.g. bird scarer lines, night
setting and line weighting) are used in combination. The mitigation measures for static net
fisheries are less well developed and tested and doubts remain over the
effectiveness as acknowledged by MRAG2. None of them are currently used commercially in static net
fisheries to reduce seabird bycatch. Closed or restricted areas are the only effective
mitigation measures available in these fisheries at present. It is apparent that the general preference
of fishermen is for practical, low-tech measures (i.e. offal discharge,
streamers for longlines and buoys with bird scarers for static nets). Such
measures lend themselves to a Code of Conduct type approach that can be
reinforced through peer-led example and pressure rather than prescriptive
legislation. Less favourable measures are more costly and complex modifications
such as bird-scaring curtains for longlines and acoustic pingers for static
nets. Not surprisingly spatial and temporal measures are the least popular
among fishermen given the anticipated loss of earnings from the partial or
total closure of fishing grounds although they acknowledge that they are likely
to be effective. In the public consultation most
stakeholders recognised the current suite of measures available in longline
fisheries to be reasonably effective. Line weighting was highlighted by the NGOs
and at least one national administration in the public consultation as being a
particularly effective measure, although the RACs, fishermen's organisation and
other national administrations contested this and claimed it was dangerous,
particularly for small vessels. Also in public consultation the Baltic Sea RAC
and several NGOs highlighted the ban on drift netting introduced in the Baltic
and high seas as being particularly effective. 2.5. The
affected stakeholders The adoption of new measures and the
strengthening of existing measures to protect seabirds will impact on a range
of stakeholders. The choice of measures will have implications principally for
the catching sector and administrators. Table 3 below shows the main
stakeholders groups involved. Table 3 Key stakeholders in the conservation of seabirds Stakeholder Group || Description || Key interests Catching sector || EU Vessel owners, operators and crew. || Maintaining profitability and livelihoods. Fisheries-dependent businesses & communities || Business and communities dependent upon longline and static nets fisheries for their livelihoods. Other dependent economic sectors involved in ecotourism, bird watching etc. || Maintaining profitability and livelihoods. Administrators || Regional, national and provincial bodies regulating EC protection of seabirds as well as RFMOs in external waters. || Ensuring an efficient, effective and practical management framework that balances a wide range of stakeholder needs. Research Sector || Scientific research bodies (ICES) contributing to the conservation and management of seabirds, and to sustainable fishing gears and practices. || Contribution to an effective fisheries management regime through the timely access to robust data from fishery dependent and independent sources. NGOs || Non-governmental organisations advocating responsible management of seabirds. || To secure effective monitoring and mitigation of incidental catches of seabirds. General public || The wider public with an interest in and concern for seabirds in particular and the marine environment in general. || To maintain seabird populations and biodiversity. Source: Author Of these stakeholder groups, the most
affected by the introduction of measures to protect seabirds would be the
longline and static net fleets operating in EU fisheries which have been highlighted
as causing high levels of bycatch and where few management measures are in
place. Apart from a few specific fleets (e.g. the Gran
Sol and pelagic longline fleets in the western Mediterranean), which are made
up of a small number of larger vessels greater than 24m, the rest are
characterised by comprising large numbers of small coastal vessels (typically
less than 12m in length). Estimated figures for the
number of vessels involved in longline and static net fisheries EU-wide are
shown in Table 4. Table 4 Estimated numbers of EU static net and
longline vessels by length class Gear Category || Size Range || Number of Vessels Static nets || Less than 12m || 38,269 Static nets || Greater than 12m || 1,808 Total || 40,077 Longlines || Less than 12m || 13,086 Longlines || Greater than 12m || 1,170 Total || 14,256 Source: EU Fleet Register Table 5 shows a breakdown of the fleets from
the case studies in the MRAG study2 which have been identified by ICES3 as having high
bycatch. Estimates of employment are inclued by way of illustration. Table 5 Summary
of the estimated number of vessels in the case study fisheries used for the
MRAG study Area || Fishing Method || Member States || No. of Vessels || Estimated employment (FTE) Western Mediterranean || Pelagic longline || Spain, Italy, France || 1295 || ~2400 Western Mediterranean || Demersal longline || Spain, Italy France || 1320 || ~2850 Eastern Mediterranean || Pelagic longline || Malta, Greece || 2815 || Not known Eastern Mediterranean || Demersal longline || Malta, Greece || 5353 || Not known Gran Sol || Demersal longline || Spain, France || 74 || 1,260 Eastern Baltic Sea || Static net || Estonia, Latvia, Lithuania || 2692 || ~3,000 Western Baltic Sea || Static net || Sweden, denmark, Germany || 1123 || 1,600 Eastern North Sea || Static net || Netherlands, Germany || 122 || ~244 (Netherlands only) Source: MRAG2 It is diffcult to classify these vessels
into micro, small or medium-sized enterprises[43]
because accurate employment figures and average turnover for the EU fleet as a
whole are not available or reliable. However, it is apparent that the majority
(more than 90%) of these longline and static net vessels would be classified as
micro-sized enterprises with 1-2 crew and a turnover less than €2 million. Many
of these vessels operate on a part-time basis and regularly switch between fishing
methods. A small number of the larger longline vessels could be classed as
small-sized enterprises with crews of 10-30 and a turnover of close to €10
million. Several of these larger vessels are owned by companies typically
employing 100-250 people with turnover of €20-30 million and could therefore be
classed as medium-sized enterprises. For instance the Spanish company Grupo Regal
and Associate Companies own and manage most of the Spanish longline fleet
operating in the Gran Sol fishery2. If other fishing gears such as trawls and
purse seines, potentially causing seabird bycatch, are included, then almost
the entire EU fleet of around 84,000 vessels, employing around 141,000 could potentially
be impacted. According to the estimation made for the CFP reform impact
assessment[44] around 90% of the total EU fleet would be classified as micro-sized
enterprises. In external waters
there are approximately 400-500 EU licences available for longline vessels, predominantly
for tuna, swordfish and Patagonian toothfish. Most of these vessels would be
classed as small or medium-sized enterprises with between 10-30 crew on board and
turnover less than €10 million although as in EU waters many of these vessels
are owned by larger companies of 100-250 employees with a larger annual
turnover (e.g. Grupo Regal operate a number of vessels in the longline fishery
in the Antarctic). A breakdown of the numbers of vessels by agreement is given
in Annex XII. 2.6. Underlying
Drivers The problems and underlying drivers leading
to incidental seabird bycatch are summarised in Table 6 below: Table 6 Problems
and underlying drivers Problems || Drivers Frequent interactions between fisheries and seabirds are inevitable and result in incidental catches of seabirds. || Seabirds have become increasingly dependent on their association with fisheries for survival and breeding success. In so doing, they are augmenting the risk that they become injured and/or die and that their populations decrease as a result Longline and static nets that account for a large proportion of the incidental catches of seabirds are the most efficient methods for catching certain fish species many of which are of high value. Therefore these gears are widely used. Current management measures under EU fisheries and environmental legislation and measures included under international Conventions and Agreements have been largely ineffective in reducing seabird bycatch except in some longline fisheries in external waters. || Management measures are contained in a number of different regulations both fisheries and environmental as well as in international conventions and Agreements. A lack of urgency both at EU and internationally to address the issue of seabird bycatch and poor and inconsistent implementation of existing measures despite a number of indications by the EU to take action.[45] [46] [47] [48] A lack of incentive for fishermen to comply with these measures or adopt measures voluntarily even though the interactions with seabirds are known to have an impact on fishing productivity and profitability. There is a general lack of knowledge on the actual scale of incidental catches due to the sporadic nature of monitoring. || No formal obligation to monitor seabird bycatch in EU waters so monitoring is at low levels and sporadic. Data on seabird populations and distributions is incomplete. Monitoring under the Birds and Habitats Directive are not specifically geared to bycatch in fisheries and therefore monitoring is not at a sufficient resolution to estimate the extent of bycatch. In external waters monitoring is required in most fisheries but normally on a voluntarily rather than mandatory basis so is inconsistent. Proven mitigation measures have been developed for longline fisheries but uptake remains low in EU waters and only sporadic in no-EU fisheries. For other fishing gears few, if any proven mitigation measures currently exist. || Effective mitigation measures are well documented for longline fisheries but in the absence of regulation uptake of such measures is low in EU waters. They are more widely used in external waters although implementation is inconsistent and ineffective in many fisheries There has been less emphasis on seabird bycatch with other fishing gears so mitigation measures for these gears remain unproven and not commercially acceptable. There is a poor understanding and acceptance by fishermen that a problem of seabird bycatch exists or of the benefits of adopting mitigation measures to reduce bycatch. This is particularly apparent in EU waters. || Lack of awareness raising and training of fishermen in the use and benefits of mitigation measures and accurate identification of seabirds for reporting purposes. At an individual vessel level, recommended actions to mitigate against seabird bycatch are considered dis-proportionate to the scale of impact on seabird populations. Fishermen believe that using mitigation measures will result in capital outlay and loss of earnings from reduced catches. Research into mitigating seabird bycatch has been concentrated on longline fisheries with little work to develop measures for other fishing gears (e.g. static nets, trawls and purse seines). || Longline fisheries have been identified as the biggest source of seabird bycatch. Reducing bycatch in other fishing gears is technically more challenging than for longlines. Source: Author 2.7. Evolution
of the problem Based on the available scientific advice
from ICES3,4 and the findings of MRAG2 and other recent studies15&16, at least 60 of 346
seabird species are known to be incidentally caught in fishing gears in EU and
non-EU waters. Of these 60 species around 49 (25 in EU waters and 24 in non-EU
waters) are classified as being of conservation concern either globally or at a
local population level. In EU waters 6 species and in non-EU waters 22 species with
reported high levels of bycatch are IUCN listed as being at high risk. ICES
concludes that there is a seabird bycatch problem in EU fisheries and that
measures should be developed to tackle this problem. The majority of the
contributions from the general public, RACs, NGOs and national administrations
to the public consultation concur with this conclusion. In a worst case scenario incidental seabird
bycatch will remain unsustainable in EU waters for the threatened species indicated
in Section 2.1 in the short to mid-term and have the potential to lead to further
declines in the population of these species. In the best case scenario existing
levels of seabird mortality may reduce through the voluntary use of adapted
gears and fishing techniques by fishermen. MRAG2 indicates that this has occurred sporadically in several fisheries
implicated as having high bycatch (e.g. Western Mediterranean longline
fisheries and the Gran Sol longline fishery) and where there is an economic
incentive to adopt such measures to minimise bait loss, catch and gear damage
and catches foregone. However, in the absence of campaigns to increase awarence
of the problem and the benefits of adopting mitigation measures this is likely
to be on a limited scale. No such incentives exist for static net fisheries, the
other main source of bycatch in EU waters, and without proven mitigation measures
other than closed or restricted areas, bycatch would be expected to continue at
current levels. SPAs and SACs created under the Birds and Habitats Directives
which contain fishery management measures to reduce seabird bycatch may help to
improve the situation in the longer-term but are currently ineffective on their
own. Monitoring of seabird bycatch would
continue to be sporadic without any action. Monitoring of seabird bycatch is
not explicitly required under the Data Collection Framework (DCF) as part of
the current CFP, while monitoring under the Birds and Habitats Directive is not
at sufficient resolution to allow an accurate assessment of the level and
impact of bycatch on populations. Some evidence of voluntary reporting under
the current DCF is reported but is restricted to a few Member States. Therefore
knowledge on the level of incidental catches, species, areas and fisheries
affected would remain incomplete making the framing of management decisions
problematic. In external waters, seabird bycatch would
be expected to remain at current levels as existing mitigation and monitoring
measures would remain in place, albeit inconsistently implemented across
regions. This inconsistency was highlighted by several NGOs in the public
consultation as a major problem. If no action is taken to improve the
implementation of these measures and reduce bycatch, then evidence would
suggest that the populations of albatross and petrels under threat could
further decline. In a worst case scenario bycatch could significantly
contribute to extinction of a species. This has already been the case for the now
extinct Large St Helena Petrel (Bulweria bifax), which was
reportedly caught in significant numbers in several longline fisheries13.
In the best case scenario bycatch could be stabilised at current level, reduced
or as evidenced by the fisheries in the Antarctic managed by CCAMLR almost
eliminated. 2.8. Necessity
and Subsidiarity This proposal concerns a field of exclusive
Union competence and therefore subsidiarity does not apply. Under the Treaty,
the EU has exclusive competence to manage fishing activities for conservation
purposes, which would include the reduction of bycatch of biologically
sensitive species including seabirds. The relevant Articles of the TFEU are Article
3(1d) which covers "the conservation of marine biological resources under
the common fisheries policy" and Articles 38 to 44 that relate
specifically to the CFP. Member States are able to develop measures
for their own fleets that lead to a more sustainable protection of seabirds and
this is particularly the case in waters inside 12 nautical miles. However, some
fisheries, which impact with seabirds, are shared between Member States (and
sometimes the fleet of one Member State are mostly present in the waters of
another Member State), and this makes Member States reluctant to submit their
own fleets to constraining measures unless the same or equivalent rules will
apply to neighbouring fleets, in view of maintaining an economic level playing
field. In addition, the scientific knowledge on seabird bycatch can only
improve when common standards for data sourcing are followed, otherwise
scientists will not be able to compare data stemming from various Member States. 3. Objectives 3.1. General
objectives Given the lack of accurate data on populations and estimates of
bycatch for all seabird species, it is difficult to set absolute targets for
the reduction of seabird bycatch. Therefore this proposed initiative has the
objective: to minimise and where possible eliminate the incidental
catches of at least 49 threatened seabird populations by EU vessels operating
in EU and non-EU waters and reduce bycatch for other seabird species where the
populations are stable but bycatch is at levels that are cause for concern.
This should be achieved at the latest by
2020 in line with the objective of the MSFD to reach GES for the marine
ecosystem by this date. It is also in line with one of the overarching
objectives of the CFP of moving to an ecosystem approach to fisheries
management. 3.2. Specific
objectives The specific operational objectives to support
this general objective are: (1)
Identify and rectify weaknesses and incoherencies
in current management measures both in EU and non-EU waters by: · Defining clear management targets for seabird species under threat
from bycatch. Targets should be defined at the latest by the end of 2013. · Progressing the development of fisheries management measures in SPAs
to protect seabirds on a continual basis in line with the reform of the CFP. · Reviewing current measures in place in RFMOs at the latest by the
end of 2013 and thereafter assessing compliance and effectiveness on a
continual basis. · Coming forward with recommendations to monitor and introduce
mitigation measures (on a voluntary basis) to reduce seabird bycatch for non-EU
vessels operating in EU waters as part of Coastal State Agreements (e.g.
Norway) at the latest by the end of 2013. (2)
Consolidate and collect data critical to establish
the extent and threat posed by seabird bycatch particularly to the populations
of species identified as being of conservation concern by: · Reviewing available bycatch data, validating sources of information
and identifying fisheries where further monitoring is required at the latest by
the end of 2013. · Collecting bycatch data on these fisheries either on a volunatary
basis through the current DCF, under the Birds and Habitats Directive, through
pilot projects and self-sampling by industry or national monitoring programmes.
Alternatively this could be done under mandatory monitoring required under EU
law. Implementation should begin immediately. · Creating a standard reporting format for recording seabird bycatch
at the latest by mid-2013. · Ensuring observers deployed on vessels in external waters routinely
record seabird bycatch data and submit it to the respective RFMOs and the
Commission on a continual basis. · Considering the feasibility of incorporating the monitoring of
seabirds under the new DCF due to be introduced in 2014 as a mandatory
requirement. · Assessing whether the management targets set under objective 1 are
being met using suitable indicators (e.g. PBRs). Assessment of existing data
should begin immediately and continue as knowledge increases. (3)
Minimise bycatch of seabird species of
conservation concern to levels that eliminate the threat to the populations of
these species through the implementation of appropriate mitigation measures by:
· Implementing measures in high-risk longline fisheries both in EU and
non-EU waters through national measures, voluntary uptake by industry or through
a specific regulation detailing mandatory mitigation measures. Implementation
should begin immediately and continue in this format up until the introduction
of a new technical measures framework to be developed post-CFP reform (expected
early 2016) whereafter necessary measures would be incorporated under the
framework. · Assessing and implementing mitgation measures for static net
fisheries in EU waters where bycatch is reported to be high. This is dependent
on such measures being further researched and tested but should be a priority
action. Implementation of mitigation measures in these fisheries should
continue until the new techncial measures framework is implemented and measures
are incorporated into this framework. · Bringing forward proposals for additional mitigation measures in
RFMOs on a continual basis as and when required. Crucial to a better understanding of the
problem and the development of practical solutions two further supporting
objectives are foreseen: (4)
Address the lack of acceptance by fishermen that
seabird bycatch is a problem as well as the lack of incentive for fishermen to
adopt mitigation measures. Critical to achieving this will be the allocation of
funding by Member States under the EFF (until the end of 2013) and the new EMFF
(in the period 2014-2020). (5)
Resolve outstanding difficulties with existing
mitigation used in longline fisheries and address the absence of effective
mitigation measures for other fishing gears, particularly static net fisheries.
As with objective 4, EFF and EMFF funding will be critical to achieving this
objective. 3.3. Reform
of the CFP The reform of the CFP, which is currently
under negotiation, is crucial to achieving the
objectives of this initiative as part of an ecosystem approach to fisheries
management. Such an approach will contribute to the protection and preservation
of the marine environment and be compatible with current environmental
legislation (i.e. Birds and Habitats Directive) and the requirement to reach
Good Environmental Status (GES) for the marine ecosystem contained in the MFSD.
Regardless of the actions taken, achieving
this will require improvements in the coherence between regulatory instruments
and a more holistic approach to fisheries management that takes account of the
regional specificities of fisheries. For bycatch issues including seabirds this
will involve several important elements: ·
A new approach to technical measures which for
seabirds will contain limits for levels of bycatch along with a tool box of
mitigation measures that could be used to achieve these targets. Member States
could then develop "regionalised" technical measures using this
toolbox and demonstrate the measures implemented are being effective. This approach
will take time to be developed and the final content is dependent on the
outcome of the reform. Realistically it will not be in place before 2016. ·
The new EU Multiannual Programme for Data
Collection (DCMAP) planned to be introduced in 2014. Discussions are currently
on-going regarding whether to include the monitoring of other ecosystem
components including seabirds. Input from experts and a costing of such an
extension of the current Data Collection Framework are still needed. ·
Financial support for new measures provided
under the current European Fisheries Fund (EFF) and the
new European Maritime and Fisheries Fund (EMFF)[49]. The new EMFF is scheduled to be introduced in 2014 and would provide aid
for the development and use of environmentally friendly
fishing methods and gears, pilot projects aiming at experimental use of more
responsible fishing gears and the testing of alternative monitoring
technologies such as CCTV. ·
The Commission to take a more pro-active role in
the RFMOs to try to remedy the current situation of poor compliance of some
Member States with RFMOs' conservation and management measures. This commitment
is given in the recent Communication on the External Dimension of the CFP[50]. 4. Policy
options Three policy options to address these
objectives are considered: ·
Option 1: Status quo: Baseline scenario
(hereafter "Status Quo") ·
Option 2 : Development of an EU Plan of Action
for reducing seabird bycatch (hereafter "EU-POA”) ·
Option 3 : The adoption of a stand-alone Regulation
(hereafter "Stand-alone Regulation") For options 2 and 3 the actions are largely
as outlined but they differ from each other in the legal format. A fourth option relying on the implementation
of mitigation and monitoring measures under the Birds and Habitats Directive
was also considered. This option was referred to in the public consultation by
several fishermen's representative organisations who felt no additional
measures were needed if appropriate fisheries management measures were properly
implemented within SPAs. However, this was rejected on the grounds that: ·
Evidence to date suggests that the primary
measure contained in the Birds and Habitats Directives i.e. SPAs and SACs are
not the most effective means of protecting seabirds from fisheries interactions.
Most seabird species often forage for food far from
their breeding sites for which such sites are best able to protect and even
though there is a commitment within the Birds Directive to protect seabirds as
much outside SPAs as inside, so far this has not resulted in measurable reductions
in bycatch. ·
The monitoring required under the Birds and
Habitats Directive is not at a sufficient resolution or frequency to provide an
accurate estimate of bycatch levels. ·
The development of effective fishery management
measures in offshore SPAs and SACs is still a work in progress as evidenced by
the FIMPAS and EMPAS projects. Such measures are currently difficult to agree
given they often straddle the territorial waters of a number of Member States. ·
The Birds and Habitats Directives will not
address the issues of seabird bird bycatch in non-EU waters. A fifth option of a complete prohibition of
fishing with longlines and static nets within EU waters where seabird bycatch
has been identified as being problematic was considered on the basis that this
was proposed by several NGOs and members of the general public. However, this
was also rejected on the grounds that: ·
This is disproportionate to the scale of the
problem and would lead to major impacts on longline and static net vessels
EU-wide. An estimated 54,000 vessels, landing ~30% of the total EU catch would
be affected; ·
Simple and effective mitigation measures are
available in many cases; and ·
These gear types are recognised as being
environmentally friendly compared to towed gears in that they are size-selective,
fuel-efficient and have a lower impact on the seabed. Prohibiting them would
force fishermen to adopt or revert back to other fishing methods with higher
environmental impacts. 4.1. Option
1 – Status Quo This first policy option would be a
continuation of the current status quo taking no further action that
would go beyond what already exists in current EU fisheries and environmental
policies (including legislation adopted by RFMOs and tranposed into EU law). This
would mean seabirds continuing to be protected under a range of diverse, mainly
voluntary and largely incoherent management measures, which other than a few
isolated cases in external waters (e.g. CCALMR) seem to have been ineffective. This
was highlighted by the majority of contributors to the public consultation as a
non-option as there is compelling evidence that current management measures
have failed and that a significant problem exists. Essentially uptake of mitigation measures in
EU waters would continue to be left to voluntary actions taken by fishermen or
through national measures and in external waters as non-binding measures (e.g.
resolutions or recommendations) in RFMOs. MRAG2 supported by the findings of several other studies15, 16
conclude this uncoordinated approach has not worked and the uptake of effective
measures on a voluntary basis, without supporting awareness raising campaigns has
been limited and sporadic. Therefore without any improvement in the
effectiveness and implementation of mitigation measures, seabird bycatch would be
expected to remain at unsustainable levels in the short to medium term. Monitoring of bycatch would continue to be only
broadly covered under the Birds and Habitats Directive, supplemented with
voluntary observations at national level, either as pilot studies or under the existing
and new DCF. This would be insufficient to provide a clear picture of bycatch
levels as highlighted by a the majority of stakeholders in the public
consultation. In external waters monitoring carried under the RFMOs would
continue to be variable and sporadic. There would also be no attempt to raise
awareness of the problem of seabird bycatch to fishermen other than existing
campaigns coordinated by NGOs or any incentive for fishermen to adopt measures
voluntarily other than for operational reasons. There would also be no incentive
for Member States to instigate research into solutions to the problem of
seabird bycatch. 4.2. Option
2 – EU-POA This second option is based on the adoption
of an EU-POA, which would follow an adaptive management approach. This approach
was endorsed by the majority of the stakeholders in the public consultation
(most NGOs, RACs and national administrations) and also by ACFA. Adaptive,
regionalised management is advocated in the CFP reform. The POA would contain voluntary measures supported
by regulatory instruments within the CFP, environmental legislation, international
fishery legislation as well as the Conventions and Agreements detailed in
Section 2.4. The POA would provide an overarching framework encompassing
monitoring and mitigation measures with links to flanking measures (EFF/EMFF) that
would provide financial support across fisheries. It would seek to provide a
more structured approach than the current situation where the catching sector
are largely left to adopt their own measures without any guidance or real incentives. The measures envisaged under this option
would be applicable to all vessels operating in Union waters and to EU flagged
vessels in external waters. This was the scope advocated by the majority of
stakeholders, including the RACs in the public consultation. Furthermore, in
order to ensure a coherent approach between the internal and external EU
fisheries policy, the Union would seek that the relevant international bodies enhance measures to protect seabirds by
facilitating their adoption by fishermen, integrating seabird bycatch
monitoring into observer programmes (where this has not already been achieved)
and promoting best practice to non-EU fleets. The POA would contain a combination of
existing legally binding elements, future measures introduced under the
regulatory instruments of the reformed CFP as well as non-binding/voluntary
measures. These are summarised in table 7. Table 7 Binding and non-binding measures under the POA Existing and Future Legally Binding Measures || Non-Binding/Voluntary Measures Fishery Management measures in SPAs created under the Birds Directive || Monitoring of seabird bycatch under the DCF (currently voluntary with the intention of possibly making it mandatory under the new DCF) Reporting and targets defined under the Birds Directive, MSFD, RFMO agreements and under International Conventions || Voluntary mitigation measures adopted by the fishing industry Existing Mitigation Measures (EU legislation in EU and non-EU waters) || Enhanced observer coverage by Member States in areas where bycatch is highest Regionally specific technical Measures implemented under the new technical conservation measures framework in the context of the CFP reform || Non-binding resolutions and recommendations under RFMO Agreements and International Conventions National mitigation measures (e.g. Spain) || Financial support for adoption of mitigation measures, research and education awareness under the EFF and EMFF Source: Author To address specific objective 1 it would
aim to provide a consistent approach between fisheries and environment policies,
recommending actions in areas and fisheries in EU waters identified as having
high levels of incidental catches of seabirds with direct consultation with
stakeholders. In external waters it would provide a mechanism to ensure coherence
and complementarities between RFMOs, fisheries agreements and environment
conventions, such as CITES, CMS, Regional Seas Conventions and UNSDC (Rio+20)
and help to ensure better implementation of existing measures. To meet specific objective 2 in addition to
national monitoring programmes, under the POA Member
States would be encouraged to extend monitoring under the DCF to include
seabird bycatch in fisheies known to or suspected of having a bycatch problem. This
would be a voluntary action but it should be noted that some Member States,
notably UK, France, Poland, Ireland and the Netherlands already monitor bycatch
of protected species including seabirds under their DCF programmes. In identified high-risk fisheries, Member
States would also be encouraged to implement enhanced observer programmes in
line with a precautionary approach to establish the extent of the problem. Financial
support for such programmes would be provided through the EFF and the new EMFF.
After 2014 the intention would be to make reporting of seabird bycatch a
mandatory requirement in all fisheries covered under the new DCF and for Member States to report regularly on seabird bycatch in the
relevant fisheries. The need for mandatory reporting for seabird bycatch in the
longer term was advocated by NGOs and the RACs in the public consultation. Specific bycatch monitoring would be
supported by separate monitoring required under the Birds and Habitats Directive
on the implementation of national provisions taken under these Directives. Combining
data from these sources would allow the development of PBR estimates for a
range of seabird species allowing assessment of the relative contribution of
bycatch to overall mortality and the setting of concrete management objectives.
To achieve objective 3, in the short-term, implementation
of mitigation measures in EU waters under the POA would be essentially
voluntary or through national measures. The POA would recommend fisheries where
actions should be prioritised based on known information, conservation threat
and the appropriate mitigation measures available. MRAG2 and ICES3 indicates that
priorty should be given to: ·
longline fisheries in the eastern and western
Mediterranean and the Gran Sol fishery in the NE Atlantic; ·
in external waters where the use of mitigation measures
should be consolidated; ·
and static net fisheries in the Baltic and
eastern North Sea noting that mitigation measures other than closed or
restricted areas are less well developed. In the longer-term the aim is to
incorporate mitigation measures under the new regional approach to technical
measures to be developed under the reform of the CFP outlined in Section 3.3. The
extent to which regionally specific mitigation measures will be needed under
this approach will depend largely on the uptake and effectiveness of measures
introduced in the short-term. If there is verifiable adoption of measures and
management targets set are being met then there will be less of a need for
mandatory measures to be introduced. If there is no evidence of significant
reductions in bycatch or uptake of mitigation measures is poor, then the
Commission could step-in and implement mandatory measures. This in itself is an
incentive for the catching sector to volunatrily adopt mitigation measures to
avoid potentially more stringent requirements in the future. In line with
objective 4 and to support objectives 2 and 3, the POA would recommend Member States
implement education and training programmes for fishermen to raise awareness of
the problem, to demonstrate the benefits of using of mitigation measures and also
in the identification of seabirds for reporting purposes. In addition Member
States would be encouraged to instigate research to develop and test practical
mitigation measures in line with objective 5. These measures along with funding
to offset the costs of using mitigation measures would be facilitated through
the EFF and the new EMFF as outlined in Section 3.3. Funding may also be
available for targeted research through the EU LIFE[51] programme and FP7 programme[52]. In external
waters, the issue of seabird bycatch is more about the consolidation and
implementation of exisiting monitoring and mitigation as the problems are
better documented in line with objective 1. The main function of the POA in
these fisheries would be to provide a vehicle to propose the strengthening of
existing measures and implement awareness raising measures to improve
compliance. The POA would also provide a mechanism to encourage
RFMOs, both through direct request and via the FAO, to develop their own
National/Regional Plans of Action, consistent with the FAO Best Practice
Technical Guidelines12. In the longer-term,
under the reform of the CFP, evidence of compliance with conservation measures
such as mitigation and monitoring of seabird bycatch could be made a condition
of the licence of particpating vessels. Such a requirement is already implemented
as part of the measures in place in CCAMLR. The approach described under this option would
not require a separate impact assessment as the measures would be implemented
through existing measures or by voluntary or national measures in the first
instance. In the longer-term an impact assessment will be required to support
the new technical measures framework but this regulation will not specifically contain
detailed measures for seabirds which should be regionalised and implemented at
a Member State level. 4.3. Option
3 – Stand-alone Regulation Option 3 takes a stricter precautionary
approach than option 2 and was advocated by one particular NGO and members of the
general public in the public consultation but rejected by the RACs and
fishermen's organisations as being dis-proportionate to the scale of the
problem. It assumes that the new approach to technical measures will not be in
place until 2016 and the new DCF until 2014 at the earliest. Therefore based on
the current conservation status of at least 25 seabird species in EU waters
(either listed by IUCN or in the Birds Directive), regulatory measures to
protect these species need to be put into place more expediently. Essentially, it seeks the adoption of prescriptive
mitigation measures and monitoring of identified fisheries under ordinary
legislative procedure. It would apply principally in EU waters with provisions
for EU vessels operating in external waters continuing to be covered under the legislative
frameworks already adopted by the RFMOs. It would be based on existing
knowledge of fisheries which have reported bycatch of threatened seabird
species and the use of proven mitigation measures to address this bycatch. The Regulation would build on the
experiences of Regulation (EC) No 600/2004 which sets out monitoring and
mitigation measures in the Antarctic fisheries manged by CCAMLR. These measures
are relatively simple and have been successful in almost eliminating bycatch in
the longline fisheries in this region. It would also follow a similar approach
to Regulation (EC) 812/2004[53] which contains specific monitoring
and mitigation measures for cetacean bycatch across different fisheries and
areas within in EU waters. Under this option two sub-options could be
foreseen: ·
Sub-option 3a: including both monitoring and
mitigation measures; ·
Sub-option 3b: including only mitigation measures
with monitoring incorporated under the new DCF as per option 2. Under sub-option 3a, the fisheries to be
monitored would be defined based on known information and level of conservation
threat. Monitoring would be in parallel with the introduction of mitigation
measures and extended to cover other fisheries where a bycatch problem is
suspected. As per Regulation (EC) 812/2004 it would contained defined levels of
monitoring for different fisheries based on the level of observation thought
likely to detect a conservation threat. Implementation of a separate monitoring
programme was advocated by the NGOs but rejected by the RACs. Under sub-option 3b, monitoring of seabird
bycatch would be addressed as under option 2 and over-time it would be
incorporated under the new DCF planned to be introduced in 2014 if this proves feasible.
Under both sub-options, mitigation measures
would be defined for the high-risk longline and static net fisheries as
identified under option 2. In the longline fisheries this would equate to the mandatory
use of proven gear modifications and changes to fishing practice which have
been effective in CCAMLR and in other fisheries globally. These include the use
of bird scarer lines, offal discharge management measures, line weighting and
night setting. For these measures defined standards and specifications would be
set out as in the CCAMLR Regulation. All of these measures were deemed
effective in the public consultation although the RACs and fishermen's
organisations highlighted line weighting as potentially dangerous. These measures would be supported with the establishment
of spatial/temporal closures or gear restrictions where appropriate. Such areas
would be established on the basis that inaction or using mitigation measures
alone could cause serious and potentially irreversible damage to threatened seabird
populations. They would complement SPAs and SACs established under the Birds and
Habitats Directive. For static net fisheries, as under option
2, initially measures would have to be restricted to spatial or temporal closures
and simple operational changes such as offal discharge management given that
other mitigation measures for static net are not well developed or tested
currently. As new mitigation techniques are developed then these would be
incorporated into the Regulation. In the longer-term for both sub-options, these
mitigation measures could be incoporated under the new approach to techncial
measures proposed under the CFP reform and the relevant parts of the Regulation
could be repealed. This regulatory approach (either sub-option
3a or 3b) would address specific objectives 2 and 3 and also objective 1 within
EU waters. It would not specifically deal with objectives 4 and 5 in that it
would not contain specific provisions for research, training or education. Funding
for such initiatives would still be available under the EFF/EMFF if Member
States wished to include measures to protect seabirds as part of their
Operational Programmes. The Regulation would be based on the assumption that a
problem exists and measures to mitigate this problem are available so there
would be no explicit need for further research, training or awareness raising
measures. In the case of both sub-options as there
would be economic, environmental and social impacts a separate impact
assessment is likely to be required to support the Regulation although much of
the background information for this impact assessment may already be included
in the MRAG study. 5. Analysis
of impacts The main outcome from the different policy
options are analysed against their economic, environmental and social impacts.
The options are also asssessed against the Commission's Action Plan for
simplfying and improving the Common Fisheries Policy[54] as well as the administrative
burden on the main actors as a result of introducing new measures. 5.1. Option
1 – Status Quo 5.1.1. Economic
impacts Mitigation The main sector affected economically under
this option would be the catching sector. There would be no direct costs for
adopting new mitigation measures as none would be required, although individual
vessel owners may adopt voluntary measures in certain circumstances. Negative
impacts from a reduction in fishing productivity and profitability through interactions
with seabirds may result. In longline fisheries, this negative economic impact would
be in the form of direct costs incurred by bait loss to seabirds. Bait costs for
longline vessels are currently high and MRAG2 estimate they may make up c. 15%-20% of the total operating costs
of a longline vessel. These costs are dependent on the size of vessel, number
of hooks being fished and type of bait used. Although these losses have not
been accurately estimated directly for EU fisheries, several studies have been
carried out in international longline fisheries that illustrate the scale of such
losses typically incurred. These range from a Norwegian study[55] that showed losses to Northern
fulmars in unmitigated demersal longline fisheries to be as high as 70%, to a
Japenese study[56]
that observed bait losses of betweeen 15-16% in pelagic longline fisheries for
bluefin tuna off New Zealand's EEZ. Assuming these rates are equivalent to EU
fisheries then the losses are significant and conservatively would be c.20%. There would be additional direct losses incurred
through damage to fish catches from depredation by seabirds, as well as direct gear
damage caused by seabirds. These costs have not been estimated accurately but
according to MRAG2,
based on the interviews conducted with fishermen, they are marginal compared to
the cost of bait losses. No fishermen reported them as being problematic
although all reported that they did occur quite regularly. There will also continue to be indirect costs
from catches foregone from seabirds being caught on baited hooks that could
have yielded catch. These losses have been estimated directly in non-EU
longline fisheries and shown to be substantial, particularly in low volume/high
value fisheries. For example, data from longline vessels targeting Patagonian
toothfish over a ten year period from 1994-2003, estimated losses of c. $2
million (€1.36 million euro) in foregone catch from seabirds. Based on the MRAG
analysis2, the
estimated losses in similar large-scale longline fisheries in EU waters are comparable
although would depend primarily on the value of the species targeted and the
seabird species interacting with the gear. In small-scale longline fisheries,
the scale of these losses is less clear but in proportion to landed catch is
still likely to be significant based on all known information. In situations, where losses are
particularly acute, some fishermen may instigate their own mitigation measures
voluntarily, which need to be factored into this analysis. There is evidence from
the MRAG study2 of
fishermen operating in the Mediterranean and Gran Sol adopting simple
operational changes and using mitigation devices in an attempt to reduce
seabird bycatch to counter these economic losses. There are no accurate
estimates of how effective these measures are or of uptake by fishermen but continued
adoption of voluntary measures in such circumstances will lead to some
reductions in seabird bycatch (c. 5-10% based on anecdotal evidence contained
in the MRAG study2).
Whether the use of these mitigation measures will be maintained in the
longer-term will very much depend on the problem continuing to exist at a level
that provides a sufficiently strong economic driver for fishermen to react to
the problem. In static net fisheries (and other
fisheries such as trawl and purse seine fisheries) economic losses from the
direct and indirect effects are much lower as losses are restricted to catch
and gear damage and downtime from removing bycaught seabirds from nets. The
scale of such losses have not been quantified although based on the MRAG analysis2, the costs are marginal except in
exceptional circumstances where seabird bycatch in individual hauls are large, resulting
in significant downtime. Overall none of these were seen as particularly major
issues by static net fishermen interviewed during the MRAG study2, although the majority reported that
catch loss, gear damage and downtime occurred regularly during fishing
operations. There was little evidence of fishermen adopting voluntary
mitigation measures in static net fisheries,which would support the view that
the economic losses caused by seabirds in these fisheries are not significant. Other Users There would potentially be economic impacts
on fisheries dependent businesses such as the processing sector and ancillary
industries but these impacts are expected to be marginal. For NGOs, there are now a number of
groups/organisations actively involved in trying to protect seabirds. Their
activities require financial and human resources. A continuation of the status
quo would result in them continuing in both the short and long-term to spend
money and time researching seabird issues and lobbying for protection of
seabirds. For the general public
the need to halt biodiversity loss is of increasing importance and this has
created a demand for sustainably and responsibly caught fish products. This was
apparent from some of the submissions from the general public in the public
consultation. Failure to take measures to reduce seabird bycatch could lead to
increasing difficulties for the catching sector to sell products in the market
because of reduced demand for products not considered to be caught in an
environmentally friendly manner. There could also potentially be economic
impacts on tourism operators through loss of opportunities for eco-tourism and bird-watching.
Without measures to protect and rebuild bird populations to previous levels,
these services will not be available to future generations. Several studies
have looked at the value of iconic species such as cetaceans and sharks that
could be equated to seabirds. These studies have concluded that certain species
(e.g. albatrosses, gannets and auks) have significant value when alive as a
tourist attraction. However, putting an actual value on this for seabirds is
very difficult in practice[57].
5.1.2. Environmental
impacts As outlined in sections 2.4 and 2.5, in all
probability, incidental seabird bycatch would continue at the current
unsustainable levels in EU waters and have the potential to influence the population
status of at least 49 seabird species. Monitoring of seabird bycatch would
continue to be low with no legal obligation under the DCF and therefore there
is unlikely to be any improvement in the current knowledge on the level of
incidental catches, species, areas and fisheries affected. Monitoring
obligations under the Birds Directive alone are currently not targeted enough
to provide a clear picture of the extent of the problem. In external waters, seabird bycatch would be
expected to remain at current levels with the existing mitigation and
monitoring measures in place. If no action is taken to improve the implementation
of these measures then in the worst case scenario certain species of albatross
and petrels could become extinct if current levels of bycatch were to continue.
In the best case scenario, bycatch would be stabilised, reduced or, as shown by
the experiences in CCALMR, eliminated almost completely21. 5.1.3. Social
impacts Media campaigns by NGOs
have undoubtedly raised awareness on bycatch issues and the environmental
impacts of fishing in general. Therefore failure to introduce any new measures,
as under option 1, would meet with a negative reaction from the general public
and NGOs. This is exacerbated by the fact that seabirds are some of the most
visible and iconic indicators of ocean health (particularly albatrosses) and
that a number of species are listed as threatened or endangered. This is
evidenced by the public consultation where all of the submissions from the
general public stressed the need to address the problem of seabird bycatch. Pressure
on national administrations, the Union and the RFMOs is therefore likely to
increase significantly if no action is taken. There are unlikely to
be any impacts on employment as there would be little change in costs or
profitabilityfrom the current situation. A report from BirdLife21
would also suggest that in external waters, even where mandatory mitgation
emasures have been introduced there has been no impact on employment with any
additional costs absorbed under the vessels operating costs and offset by the
benefits outlined. The other main social
impact of making no policy changes would be on the credibility of the
Commission since it would be seen as renaging on an international commitment
given to the FAO to develop a Plan of Action for seabirds and to implement the globally recognised FAO Code of Conduct for
Responsible Fisheries. The commitment to developing a
POA dates back to 2001 when the EU first became a signatory to the FAO Plan of
Action. It would also amount to failure
by the Union to implement measures to reach favourable conservation status for
several seabird species as required under the Birds Directive or GES as
required under the MSFD as well as respecting several
international conventions to which the EU is a contracting party. 5.1.4. Impact
on SMEs No direct impacts on SMEs are foreseen. 5.1.5. Simplification
and administrative burden As no new legislation would be introduced
under this policy option there would be no implications with respect to simplification
of regulations or any additional administrative burden. The current complex
mixture of binding and non-binding rules would continue to apply. 5.2. Option
2 – EU-POA 5.2.1. Economic
Impact Mitigation As with option 1, the main sector affected economically
would be the catching sector. To assess these impacts fishermen's perceptions
to a range of mitigation measures were assessed by MRAG2. This assessment was based on information
on direct (capital) costs for mitigation measures as well as from interviews
with 151 fishermen or groups of fishermen across the case study fisheries on
their estimates of the impacts of introducing different mitigation measures. It
should be stressed this analysis took no account of the potential economic
benefits mitigation measures might elicit, in terms of reductions in bait loss,
catch and gear damage and catches foregone as indicated under option 1. This
somewhat skews the analyses as a result and therefore in assessing the overall
impact these positive benefits have been included in the final projections. Tables 8 summarise the results for the
longline fisheries. They show estimated cost effectiveness of these mitigation
measures in terms of loss of income, costs and profit loss/gain[58]. Table 8 Cost
Effectiveness of various mitigation measures for longlines Mitigation Type || Estimated average change Income || Cost || Profit Offal discharge different times || 0% || 0% || 0% Faster bait sinking || 0% || 1% || -1% Offal discharge opposite side || -3% || 0% || -3% Bird scaring curtain || -3% || 2% || -6% Streamer Lines || -2% || 2% || -5% Side-setting || -5% || 5% || -10% Dyed bait || -8% || 4% || -12% Increase weight of line || -15% || 5% || -19% Change bait type || -16% || 3% || -19% Closed areas/seasons || -28% || -8% || -20% Night setting || -35% || 0% || -35% Circle hooks || -40% || 4% || -43% Source: MRAG2 According to the fishermen interviewed most
mitigation measures in longline fisheries would result in negative economic
impacts or at best would be cost neutral. The direct (capital) costs for
mitigation measures ranged from zero for operational
measures such as night setting or offal management measures, to minimal costs
for measures such as bird scaring lines that can be bought commercially for
around €200-250 per pair of lines to more complex measures such as integrated
weighted lines which would have much higher direct costs being c. 5% more expensive
than standard longlines. Birdlife estimate the capital costs for line weighting
to be more in the region of 14-23%21. In addition to the capital costs, fishermen
also highlighted loss of earnings and operational efficiency. Loss of catch caused by the use of measures predicted by fishermen
ranged from 0% for offal management to -43% for the use of circle hooks, which
were unpopular and felt by fishermen not to be an appropriate measure. Those
deemed most effective both by MRAG2 and also by ICES4, FAO12 and in the public
consultation, namely bird scarer lines, line weighting and night setting were
estimated to result in loss of earnings of 5%, 15% and 35%). Taking account of
the benefits of reduced bait loss, gear damage and catches foregone it is estimated
that the actual losses with these measures are considerably less than
anticipated by fishermen. A comparable study of
longline vessels in the Falkland Islands reported by BirdLife21 showed
that for each 1 million hooks set; a reduction in seabird mortality rate of 0.1
birds/1000 hooks due to the adoption of mitigation measures would raise an
additional US$5,025 (€3,400) of revenue. This would indicate that fishermen in
the MRAG study2 over-estimate the impact of mitigation measures
and at worst it is more likely that their use would result in loss of earnings
of less than 10% when taking account likely economic gains. Tables 9 summarise the results for the
static net fisheries. Table 9 Cost
Effectiveness of various mitigation measures for static nets Mitigation Type || Estimated average change Income || Cost || Profit Buoys with visual deterrents || -6% || 3% || -9% || Red corks || -14% || 5% || -19% || Multi-coloured twine || -16% || 5% || -20% || Acoustic Deterrent Devices || -10% || 10% || -21% || Spatial restrictions || -29% || 6% || -35% || Temporal restrictions || -49% || -11% || -38% || Use of alternative gears || -26% || 18% || -43% || Increase net setting depth || -40% || 4% || -44% || Set nets only at > 20m depth || -67% || 6% || -73% || Source: MRAG2 Based on the
fishermen's responses, most measures have only marginal capital costs except for
the diversification to alternative gears where capital costs are estimated at
18%. However, all measures were assessed by fishermen to result in comparatively
higher profit loss compared to longline fisheries. The benefits for adopting
these measures are limited to reduced downtime yielding only marginal benefits
so these estimated losses are more realistic in this case. Therefore the
introduction of measures into static net fisheries is likely to cause much more
disruption to the catching sector than measures in longline fisheries. This
reflects that measures for static gears are less well developed. The scale of
these costs would depend on the measures adopted with the lowest estimated at 9%
for buoys marked with visual deterrents to 73% for restrictions on setting nets
in less than 20m depth. All similar measures that resulted in restrictions
temporally or spatially including areas totally closed were estimated as having
the biggest impact on earnings. All things considered it is estimated that the
introduction of any measures into static net fisheries will result in
reductions in profit of more than 25%. MRAG2 notes that some
voluntary actions have been taken to reduce bycatch in static net fisheries.
For example Danish vessels in the Baltic voluntarily avoid dense concentrations
of sea ducks to minimise interactions. This is an easy and low cost approach
with no impact on the catch and only a small amount of additional steaming time
to work around the sea duck aggregations. Similar avoidance measures are
advocated in other fisheries anecdotally by the fishermen interviewed in the
MRAG study2 and also alluded to in the public consultation by NGOs,
fishermen's organisations, RACs and national administrations. No assessment has been
carried out for other fisheries such as trawl and purse seine fisheries but the
economic costs and marginal benefits would most likely be similar to static net
fisheries given effective measures are not well-developed. Taking cognisance of the weaknesses of the
MRAG analysis2, it
is clear there are costs for implementing mitigation measures to reduce seabird
bycatch but there are benefits that can offset these costs in longline
fisheries. In static net fisheries it is more difficult as the range of
measures available is narrower and the economic impacts are potentially higher.
This highlights the need for tailored mitigation measures for specific
fisheries. Where possible combinations of simple gear modifications, changes to
operations or voluntary avoidance should be adopted rather than large-scale spatial
or temporal measures or more expensive gear modifications such as circle hooks
with less proven efficiency and the costs and/or potential losses from reduced
catches are higher. This fishery/regionally based approach was strongly advocated
by the RACs in the public consultation and is supported by the NGOs and
national administrations. External waters In external waters direct costs for the
catching sector for adoption of new measures or the strengthening of existing
measures are likely to be marginal given such measures already exist within
most RFMOs. In addition, the vessels involved are generally large and the
direct cost of adopting these measures is modest compared to the overall
operating costs of these vessels. These costs have not been directly assessed
for these fleets but in fisheries where they have been implemented the costs or
associated catch losses have not been an issue for the fleets involved21. Additional elements There are other potential economic benefits
for the fishing industry in adopting the POA. To
satisfy consumer demand markets are increasingly seeking to source fish from
sustainable fisheries that meet the standards provided in the FAO International
Guidelines on fisheries eco-labelling and the Code of Conduct for Responsible
Fisheries. Reducing or maintaining low seabird bycatch levels can be an
important requirement to meet these standards in fisheries identified with such
problems. Cases in point are the Gran Sol longline fishery[59] which is currently undergoing
assessment for Marine Stewardship Certification (MSC) and the Patagonian Toothfish
fishery in CCALMR waters[60],
which has achieved accreditation under MSC. In both fisheries seabird bycatch
and the adoption of mitigation measures are important issues in achieving and
maintaining certification. Ensuring continued market access and possible higher
prices for certified fish products are strong drivers for industry. However, it
is difficult to quantify the actual monetary benefits. Based on the FAO model12, in
addition to monitoring and mitigation measures, an essential element of the POA
is delivering adequate training of fishermen as well as awareness-raising about
the rationale and justification for adopting such measures. This was also highlighted by the NGOs and RACs in the public
consultation as crucial to the success of a POA. The NGOs pointed to the
experiences in CCAMLR as an example of the benefits of such programmes. To develop such programmes implies an
economic cost. As an illustration of the level of costs involved, an Albatross
Task Force (ATF) operated by Birdlife across seven countries operates on a
budget of c. €500,000 per year for 15 ATF instructors, funded from donations to
Birdlife from a variety of sources (e.g. governments, general public)21.
These instructors train fishermen in the use of mitigation measures. They also
have a role in strengthening national observer programmes through developing
at-sea observer protocols and seabird identification guides while also
providing workshops and provision of training materials. The NGOs are best place to continue and expand this work into other
regions but the scale will depend on their ability to fund such programmes or finding
alternative funding sources (e.g. EFF/EMFF or national funding). In addition to awareness-raising measures,
there is undoubtedly a need for applied research to improve the knowledge of
seabird behaviour and fishing practices for refining mitigation measures. While
mitigation measures for longline fisheries are fairly well proven, for other
gear types (e.g. static nets, trawls or purse seines) appropriate measures are
less well developed. The direct economic costs of these awareness
raising, education measures and applied research in the case of the POA would
depend to a large extent on the importance given by Member States to such
measures. However, given the potential integration into
other relevant regulations, the magnitude of these costs could be shared across
a number of conservation areas (i.e. combine training on a range of non-target
species). The number of NGOs involved would also increase, given the wider range
of species covered (e.g. cetaceans). Costs for research
along with the awareness-raising and training could be offset potentially with
funding through the EFF and the new EMFF. Additionally funding through FP7 and
the EU's LIFE programme, may also be sources of funding for research into the
mitigation of seabird bycatch in the future. Such studies have been funded
under the LIFE programme in the past. Other Users There would potentially be economic impacts
on fisheries dependent businesses such as the processing sector and ancillary
industries but these impacts would be dependent on the extent of the measures
taken. There would be some economic impacts
envisaged for the NGOs for the provision of awareness-raising measures as
described. There could potentially be positive economic
impacts on tourism operators through the protection of opportunities for
eco-tourism and bird-watching as result of increasing seabird populations.
However, this is difficult to quantify and is dependent on any measures
introduced being effective. 5.2.2. Environmental
Impact Mitigation Under option 2, based on experiences
globally, adoption of simple mitigation measures will potentially lead to
significant reductions in seabird bycatch, particularly in longline fisheries.
This is predicated on implementation of the measures. Published results for
mitigation trials illustrate appropriate measures can reduce or even eliminate
seabird bycatch when a combination of measures is applied. For instance in CCAMLR,
measures required are split between gear-based measures (e.g. weighting of
lines and bird scarer lines) and operational measures (e.g. night setting and
offal discharge management). Results vary greatly between fisheries,
regions and bird species but examples of the effectiveness of mitigation
measures in several international fisheries include: ·
The seabird bycatch in
the Chilean pelagic longline fleet dropped from an estimated 550+ birds in 2007
to 22 in 2009, a reduction of ~96% in two years16. ·
In the Falkland Islands Patagonian toothfish
longline fishery seabird bycatch fell by 99% over the period 1994-2003[61]. ·
In the New Zealand longline fishery for ling
following the introduction of weighted longlines seabird bycatch was reduced by
more than 90%[62]. These results are felt comparable with EU
fisheries, particularly for the large-scale longline fisheries (e.g. Gran Sol
and Mediterranean surface longline fisheries). In the short-term incremental
reductions of between 20-30% annually are achievable based on experiences in
fisheries internationally16. In addition to gear-based or operational mitigation
measures, restricted or closed areas can also be used to mitigate against
seabird bycatch in longline fisheries. One example of this is a temporal
closure directly in place in the CCAMLR toothfish fishery aimed at reducing
seabird bycatch, with summer restrictions meaning vessels can only operate in
the winter months. This led to a reduction in birds per thousand hooks; from
0.2 in 1995 to 0.025 in 19972. Provided they are well defined
similar closed or restricted areas in combination with other measures could be
used to reduce bycatch in certain EU longline fisheries. Reductions in bycatch in static net
fisheries are much more difficult to predict and there are no clear examples of
reductions being achieved in static net fisheries with gear modifications or
operational changes. The MRAG report2 does provide an example of the driftnet
fishery for salmon in Puget Sound, US, where fishing was limited to periods of
peak salmon abundance and closed the rest of the year. This reduction in
fishing activity led to a 43% decline in bird bycatch[63]. The effectiveness in EU
fisheries would depend on the characteristics of the fisheries involved and the
information available to define the extent of areas appropriately. For other gears such as trawls and purse
seines there are few examples of mitigation measures reducing seabird bycatch.
One study[64]
shows that following the introduction of streamer lines
to the demersal trawl fisheries of the Falkland Islands, observed seabird
mortality was reduced by 90%. Similar results have been found in the South
African hake trawl fishery. Monitoring Over-time monitoring both direct (dedicated
seabird bycatch programmes) or indirect monitoring as part of other programmes
(e.g. DCF) would improve the knowledge of incidental seabird bycatch in EU and
non-EU waters and increase the number of fisheries covered. This is important
in the identification of emerging bycatch problems (e.g. in trawl or purse
seine fisheries) The weakness in the approach is that in the short-term monitoring in EU waters would be largely voluntary and may be at an
insufficient level in some fisheries to detect a bycatch problem. Additional elements Awareness-raising and training would result
in positive environmental benefits as awareness and understanding of the
problem by fishermen increases. Based on the Birdlife ATP programme21
such measures can improve the robustness of bycatch
data, encourage experimental trials to support the development of mitigation measures
and promote the use of mitigation measures to fishermen. The testing of new mitigation techniques
for longlines, static nets and other gear types and improving
knowledge of seabird distributions and their overlap with fisheries would be
highly beneficial in developing future management strategies. The development
of such measures through applied research, particularly in static net,
trawl and purse seine fisheries will clearly have positive impacts in terms of
reducing seabird bycatch although the actual benefits are hard to quantify. International elements In external waters the POA would primarily
be a mechanism to enhance measures already adopted by RFMOs and encourage a
culture of compliance among EU vessels operating in these fisheries. The POA
would provide a basis for negotiating future measures (both binding and
non-binding) included in RFMO agreements. It would also provide a platform for
the promotion of best practice among EU vessels operating in external waters.
Increasing compliance and enhancing existing measures will result in
significant reductions in seabird bycatch in external waters as evidenced by
the experiences in CCAMLR and other fisheries in non-EU waters. 5.2.3. Social
Impact There would undoubtedly be a positive
reaction to the introduction of a POA by the general public and most NGOs,
given in the public consultation they were the main advocators of a POA. It
was, however, criticised by one NGOs as being inadequate given the measures
would be largely voluntary. As evidenced by the public consultation, the
adaptive approach proposed would be supported by the catching sector and
national administrations given it is non-prescriptive with opportunities for
regionally based management measures. It allows time to gather information leading
to a better understanding of the problem and for the development of measures for
the relevant fisheries to solve the problem. The certification of fisheries under this
option may also lead to an improved perception by the general public as a
result of demonstrating responsible fishing practices. As with option 1 no significant impact on
employment is anticipated. The majority of vessels involved in EU waters are
small vessels with 1-2 crew. Any changes in costs and profitability are
marginal and offset against benefits outlined so it is unlikely that this
initiative would result in a creation or reduction in employment. For the
fleets with larger vessels involved, experience globally21 has shown
that any extra costs for mitigation measures or absorbed into the operating
costs of the vessels with no impact on employment. 5.2.4. Impacts
on SMEs In EU waters, of the approximate 54,000
vessels that fish with longlines and gillnets that would be most affected by
this initiative, almost 96% of them would be less than 12m in length and would
be classified as micro-sized enterprises. Therefore the proportionality
principle would apply in this case in implementing the POA. The conservation of
biologically sensitive species including seabirds falls under the exclusive
competence of the Union and exempting all of these micro-sized enterprises
would undermine the conservation objective of minimising seabird bycatch given
the collective impacts of all of these vessels on seabird populations. If micro-sized
enterprises were exempted then the measures would only apply to around 2,000 larger
vessels plus an additional 400-500 vessel in non-EU waters, which would be classified
as small to medium sized enterprises. It is interesting
to note that in the public consultation, the NGOs and two of the RACs advocated
that the scope of any measures should include artisanal vessels, as the level of
incidental catches in these fisheries goes largely undetected and unreported.
This supports the inclusion of all vessels regardless of size under a POA. Even though the majority of vessels involved
are classed as micro-sized enterprises, in reality any impacts can be minimised
in most cases because: ·
The measures are largely voluntary and can
therefore be tailored to the vessels and fisheries involved. ·
Grant aid under the EFF and EMFF would most
likely be available to offset capital costs. ·
Costs and loss in catch can be offset in
longline fisheries against the benefits of using these measures in reduced bait
loss and catches foregone. ·
Any costs for monitoring would be borne by the
national administrations and not the vessel owners. ·
No additional reporting requirements are envisaged
under this option. 5.2.5. Simplification
and administrative burden The adoption of an EU-POA would result in
some additional administrative costs and obligations for Member States over
about existing monitoring measures. However, the integration of monitoring
measures over-time into the new DCF regulation would most likely lead to
reductions in these costs. The avoidance of duplication of measures was
highlighted by the RACs and national administration in the public consultation
as important to keeping the costs for additional administration to a minimum. Cost for national
administrations, the Commission and Fishermens Representative Organisations would
include: ·
Costs for dissemination of information to MS and
industry; ·
Additional monitoring costs over and above
existing observer programmes; ·
The possible use of alternative monitoring
technologies (e.g. CCTV); and ·
Reporting obligations by the Commission and
Member States In terms of monitoring,
under the POA, Member States would not necessarily be
required to introduce specific monitoring programmes for seabird bycatch in the
first instance. The POA would merely recommend levels of monitoring that would
be commensurate with the level of bycatch and risk to seabird species and also
reinforce existing commitments under environmental legislation. It would be up
to Member States to decide how best to monitor the relevant fisheries cost
effectively. In this respect, monitoring of seabird bycatch could, as far as
practically possible, be incorporated into the current DCF and under the Birds
Directive and in conjunction with current monitoring obligations required under
Regulation (EC) 812/2004 for cetaceans at zero cost. Other mandatory observer
programmes under management and recovery plans could also be utilised. In the
longer-term monitoring the aim would be to incorporate into the new DCF due to
be implemented in 2014. The addition of seabird monitoring under the existing
and new DCF is unlikely to increase monitoring costs given it is merely an
added task of observers placed on board vessels. DCF is already an accepted
cost for Member States and is 50% funded by the EU. New technologies such as CCTV and
self-sampling programmes could also be used to supplement observer coverage. In
this case, these technologies would be used as scientific monitoring tools
rather than for direct control and enforcement purposes. The use of CCTV has other applications (e.g. discard monitoring) other than
just monitoring seabird bycatch and this must be factored in when assessing any
costs. A Danish study[65]
using CCTV found that capital costs for installation and maintenance of an
individual system were in the region of €10,200 with costs for monitoring 500 hauls
annually estimated at €5,000 (Anderson pers. comment). On this basis compared
to observer programmes, it is a reasonably cost effective monitoring tool. Self-sampling
programmes have been widely used to provide enhanced discard data collected
under the DCF. Such schemes are cost-effective and useful if there are
incentives for fishermen to record the data (e.g. as a requirement under a
certification scheme). However, the quality of the data can be variable due to
sporadic and often biased recording of data by fishermen. The monitoring of fishing activity within
closed or restricted areas including SPAs or SACs in which the majority of
vessels are less than 12m in length and do not have to carry Vessel Monitoring
Systems (VMS) would also potentially represent a cost for national
administrations. The actual magnitude of these costs is not quantifiable
without a detailed assessment of the likely extent of areas and the number of
vessels involved but VMS systems specifically designed for small vessels have
been tested extensively by the Sea Fish Industry Authority (SFIA) in the UK to
monitor fishing activity in an SAC off the south-west of England[66]. The systems tested cost
around STG £1,000-2,500
(€1,225-3,000) per vessel. Such systems could be used to monitor fishing
activity for a number of purposes and would potentially be eligible for funding
under the EMFF so the costs would not be excessive and as with CCTV would have
multiple monitoring applications. Such monitoring has potential benefits for
the catching sector in that it demonstrates responsible practice. Based on the
assumptions described above the administrative and monitoring costs in EU
waters for option 2 have been estimated using the EU Standard Cost Model (SCM)
at approximately €5.2 million annually until 2014 (the detailed
calculations are contained in Annex XIII). After 2014 with the potential
integration of observation of bycatch under the DCF, the monitoring costs would
be expected to reduce further. Around 95% of these costs (i.e. €4.9
million) are related to additional monitoring and inspection by Member States
to ensure measures are being applied. This is on the basis of Member States placing
observers on a sample of 50 vessels for 100 days per year. This level of
coverage is in line with recommendations by ICES on sampling of bycatch[67] of biologically sensitive
species such as seabirds or cetaceans. Monitoring uptake of voluntary or
national measures, through inspections by national control authorities are
calculated at a level of 10% of the static net and longline fleet at least once
a year. This is considered an acceptable level of coverage based on the
guidelines for inspections of sampling of landings and catches contained in the
basic control regulation for EU fisheries, Regulation (EC) No. 1224/2009[68], The remaining costs relate to
the dissemination of information to the fishing industry by DG MARE assisted by
the national administrations and RACs as well as collation and reporting of
information to DG MARE by the national administrations. It is assumed that
costs for any monitoring of seabird bycatch under the existing DCF are cost
neutral. The costs for using CCTV, VMS for small vessels or other alternative
means of monitoring would be spread across a range of applications and not just
seabird bycatch and are also taken as cost neutral. Costs for research and
education and outreach would largely be covered under the EFF and EMFF. There are existing monitoring programmes in
most of the longline fisheries managed by the RFMOs in external waters. The
level of coverage provided by these schemes currently varies considerably
between RFMOs. In some cases the monitoring of seabird bycatch is specifically
mentioned, while in others recording of bycatch is encouraged but remains voluntary.
This variability implies some level of direct costs to RFMOs administrations
and Union third country contracting parties to improve the consistency and
coverage of monitoring. These costs, however, are not deemed to be significant
as these schemes already exist. As with option 1, no new legislation would
be specifically introduced under this policy option so there would be no
increased complexity in the management system. The approach under the POA is
very much designed to be non-prescriptive and flexible leaving the development
of appropriate measures to the Member States in consultation with stakeholders.
The integration of these measures over-time into other regulations also
represents simplification. The POA is in line with the regional approach with
scope for extensive industry consultation envisaged under the reform of the
CFP. 5.3. Option
3 – Stand-alone regulation 5.3.1. Economic
impacts Sub-options 3a and 3b – stand-alone regulation
- would be in the form of binding rules under ordinary legislative procedure.
In the case of sub-option 3a this would be for both monitoring and mitigation
and for sub-option 3b purely for mitigation measures. The choice of mitigation
measures for both sub-options would be similar to those described under policy
option 2 with a combination of gear modifications, operational changes and
restricted or closed areas. Therefore the economic impacts would be broadly
similar. The difference would be they would be mandatory with less flexibility
to tailor measures to particular fisheries. As with option 2 the impacts on earnings would vary between the mitigation measures
adopted. MRAG2 shows
many are of low capital cost and have little or no impact on catch rates (e.g.
streamer lines, offal discharge) while others such as night setting and
weighted lines could reduce income by up to 35%. These losses should be
balanced against the benefits in terms of reduced bait loss, gear and catch
damage and catch foregone in longline fisheries as described in Section 5.2.1. For static net fisheries as with option 2
the only available mitigation measures currently would limited to simple
operational measures (e.g. offal discharge management) and closed or restricted
areas. Under this regulatory approach mandatory restricted or closed areas
could be introduced for specific gear types on the grounds of serious
conservation threat within SPAs or SACs or in other areas identified. Based on available
information on levels of seabird catch, species under most threat and fisheries
and gear types leading to the greatest threats, this would imply closures or restrictions
could be introduced for longline fisheries in the eastern and western Mediterranean
and in the Gran Sol area in the NE Atlantic as well as static net fisheries in
the Baltic and eastern North Sea. Without carrying out a
much detailed analysis of such closures it is not possible to estimate the impacts
on the fleets but they could be significant if the closures cause widespread
displacement of fishing effort. As a worst case scenario, if we look at the example
of the Gran Sol longline fishery, it currently involves 75 vessels, landing
approximately 12,400 tonnes of mainly hake with a landed value in excess of €30
million. Assuming that only those areas where seabird interactions are known to
be high were closed (mainly off the west of Scotland area), then the vessels
would have to concentrate activity in less productive fishing areas (Bay of
Biscay). They would suffer directly in terms of lost income from fishing less
productive grounds, but also could run out of quota or effort allocation early
in the year, making their activity unviable or force them to shift into other
fisheries. In static net fisheries,
particularly in the Baltic Sea, closures or restrictions would impact on a
larger numbers of smaller vessels. The interviews conducted in the MRAG study2 showed that the
fishermen in this area agreed that closures could be effective but would reduce
incomes by between 30-70% depending on the nature of the restrictions.
Particularly unpopular were winter closures which would coincide with the cod
season in the Baltic. These losses could be partially offset. In this case by moving
fishing grounds or diversifying to alternative gears (e.g. fish traps or
longlines). According to MRAG2 there are serious doubts concerning the catch
efficiency of such alternative gears. Without more research it is difficult to
see fishermen adopting such gears as this would result in significant
investment costs for fishermen with associated economic losses in the
short-term from reduced catches. This view was also expressed by the RACs in
the public consultation who felt that voluntary avoidance measures or short,
targeted closures would be as effective with less disruption to fishing
operations. As with option 2 there would also be
potential economic benefits for the catching sector in adopting a stand-alone
regulation in achieving certification. Other users The impacts on other users with either of
these two sub-options would be broadly similar to those under option 2. 5.3.2. Environmental
impacts Mitigation The likely
environmental impacts for sub-options 3a and 3b are similar to those described
in option 2, although given the measures will be mandatory, the speed of
seabird bycatch reduction could potentially be faster in fisheries where
measures are introduced. The provision for mandatory seasonal/temporal
closures or restrictions on certain fishing activities would provide extra
protection for seabird species of particular conservation concern although
their effectiveness would depend on them being in the right location and with
adequate control measures in place. The experience in the CCAMLR region and in other fisheries globally, where the
introduction of a combination of measures into the fisheries resulted in
seabird bycatch being virtually eliminated in 3-5 years, demonstrates that the
implementation of strict measures can be effective when there are strong
drivers for compliance. In the case of CCAMLR the costs for using mitigation
measures are minimal compared to the overall operating costs of the vessels but
the costs for not complying with the measures are high as non-compliance will
result in loss of access to a highly-lucrative fishery. In EU fisheries,
particularly the small-scale longline and static net fleets, this driver is not
as apparent as the margins are much tighter and this is a weakness in this
approach in these fisheries. Transposing measures from other areas or fisheries
into small-scale EU fisheries was considered bad practice by the RACs in the
public consultation. Monitoring Monitoring under sub-option 3a would
improve the knowledge of incidental seabird bycatch but only in those fisheries
where monitoring would be required. For instance there would be no obligation
for Member States to monitor interactions of seabirds in trawl or purse fisheries
as there is no scientific data in EU waters to suggest a problem exists. This
is despite anecdotal reports in similar fisheries in non-EU waters which indicate
seabird bycatch is likely. As a result there would be little scope to adapt
monitoring strategies quickly to deal with emerging bycatch problems identified
in other fisheries. Any amendment to address potential shortcomings would
require changes to the legislation under co-decision during which time the
problem could conceivably increase. According to ICES this has been one of the
failings of Regulation (EC) 812/2004. Under this Regulation after six years of
monitoring there is still not a clear picture of levels of cetacean bycatch and
ICES have concluded that monitoring has been a patchwork of relevant and
irrelevant monitoring. A similar problem could well arise with a dedicated
seabird bycatch monitoring programme, whereby coverage is targeted to the wrong
fisheries or areas with limited flexibility to adapt these areas quickly. There
are also question as to whether such extensive monitoring is cost-effective in
the case of monitoring the bycatch of species such as seabirds that are
sporadic. Monitoring under sub-option 3b would be
identically to option 2 and so the environmental impacts would be as reported
in section 5.2.2. External waters In external waters, seabird bycatch would
remain at current levels as existing measures would remain in place. The
environmental impacts on seabird populations would be the same as per option 1
with no added protection or monitoring over and above what already is in place.
5.3.3. Social
impacts As for policy option 2
the social impacts would be largely positive with support from the NGOs and the
general public for either sub-option. However, all NGOs and the RACs expressed
the view that measures should cover gear types other than longline and static
nets and should cover both EU and no-EU waters. Not including measures for other
gear types (trawls and purse seines) or the lack of any specific measures in external
waters to address the variability in implementation of measures across the RFMOs
may lead to criticism. The catching sector and
the administrations of some Member States would likely to consider either
sub-option as disproportionate to the extent of the
problem. Effectively they would see it as a "broad-brush" approach to
what essentially are regional issues. It would be seen as prescriptive and potential give rise to increased costs for
mitigation measures and dedicated monitoring schemes. This view was expressed
by the RACs and fishermen representatives in the public consultation who
stressed the need for a "bottom-up" approach to manage bycatch. Some Member States with
large numbers of static net or longline vessels operating in areas identified
with high bycatch may also claim the measures under either sub-option are
inequitable given their fleets would be impacted more than others. This is
evidenced by the reaction to Commission proposals to introduce mandatory
mitigation measures with limited monitoring requirements for longline fisheries
in EU waters in 2009 under the transitional technical measures Regulation (EC)
No 1288/2009[69].
This proposal was vehemently opposed by several Member States most affected and
it was quickly withdrawn. Sub-option 3b would therefore probably be more
favourably received as the monitoring element would be less onerous. The catching sector would be affected by
the introduction of widespread closures or restricted areas under both of these
sub-options. Closing or restricting fisheries, even temporarily, would have a socio-economic
impact on fishermen but also on ancillary industries and local communities. In
the example of the Estonian, Lithuanian and Latvian static net fleets operating
in the Baltic, the dependency on the local community on these fleets is high
from a social and ecnomic point of view, with employment estimated at ~3,000
fishermen2. Without
a more detailed assessment it is not possible to estimate the scale of the
impact of closing or restricting fishing but from an economic perspective in a
worse case scenario this could result in decreased profitability for vessels
that would lead to decreased turnover for ancillary industries and less money
put back into the local community. From a social perspective there could be a
reduction in fishermen employed and also employment in ancillary business. This
highlights the need to ensure any such closures should be balanced between
conservation needs and socio-economic impacts on fishermen. 5.3.4. Impacts
on SMEs The impact on SMEs would be similar to option
2 for both sub-options as reported under Section 5.2.3 except that the measures
would be mandatory with less scope for vessels owners to tailor mitigation
measures to the fisheries. This implies a marginal increase in costs for micro-SMEs
but this would be dependent on the measures enacted. 5.3.5. Simplification
and administrative burden Sub-options 3a and 3b would lead to
detailed rules, applied over specific fisheries. This is contrary to the
objectives being proposed under the reformed CFP, which points out the need to
avoid "top-down micro-management at EU level,
lacking flexibility and adaptation to local and regional conditions" but can be justified on the basis of threats to species of
conservation concern being serious and with no action populations would
continue to decline. The introduction of dedicated monitoring
programmes under sub-option 3a for seabird bycatch would entail an increase in
administrative burden on national administrations, industry representative
organisations and to a limited extent DG MARE. This has been a major criticism
levelled at the cetacean bycatch regulation53. Member States claim
that the cost of monitoring is disproportionate to the scale of the problem
with the result that the effectiveness of the monitoring actually achieved has
been sporadic and of limited utility in understanding the extent of cetacean
bycatch. The main costs associated with the
monitoring of seabird bycatch under sub-option 3 would be: ·
Set-up costs to facilitate legislative change; ·
Observer costs for monitoring; ·
Enforcement costs to ensure measures are being
applied including the use of CCTV; and ·
Reporting costs of the outcome of the measures. Based on experiences with monitoring
programmes in external waters, typically observers would need to be placed on a
sufficiently representative sample of vessels, and observe sufficient
percentages of hooks or nets being set, to achieve a realistic assessment of
seabird bycatch. According to ICES3 and Birdlife21,
experience elsewhere in the world demonstrates that observing at least 10% of
hooks or nets set will enable detection of (a) whether a bycatch problem
exists, (b) sea areas where more data are needed. Once a problem is detected,
they suggest that observers are needed on at least 20-30% of vessels in order
to monitor bycatch accurately. These levels of coverage may be attainable when
the fleets involved have a small number of relatively large vessels but are
definitely not achievable without substantial costs in situations where there
are large numbers of small vessels or Member States have multiple fleets to monitor.
This has been a problem with the monitoring of cetacean bycatch where the
targets are overly ambitious and require a very high level of observer coverage
to attain them. Therefore a
compromise is required between costs for monitoring and level of coverage
likely to provide reasonable estimates of bycatch level. As with option 2, the monitoring of fishing
activity in closed or restricted areas including in SPAs or SACs in fisheries
where the majority of vessels are less than 12m in length and are not required
currently to install Vessel Monitoring Systems (VMS) would potentially be a
cost for monitoring. The difference for sub-option 3a compared to option 2 and
sub-option 3b is that VMS in this case would be very much a control tool rather
than simply a tool for monitoring activity to complement observer coverage and
other monitoring carried out. Based on the
assumptions described above the administrative costs for sub-option 3a has been
estimated at approximately €14.4 million annually (the detailed
calculations are contained in Annex XIII). As with option 2 the majority of
these costs (90% i.e. €12.96 million) are related to additional monitoring and inspection
by control authorities to ensure measures are being applied. This is on the
basis of Member States observing 1% of the total longline and static net fleets
for 30% of their total operating time, estimated at 220 days/year (i.e. 66 days
per vessel). The total cost of such observer programmes is estimated at €10.5
million. Control and enforcement costs would be as for option 2 with costs based
on inspecting 10% of the static net and longline fleet at least once a year
specifically for seabird bycatch. These would be recurring costs. The costs for using control tools such as CCTV, VMS for small
vessels or other alternative means of monitoring would be spread across a range
of applications and not just seabird bycatch and would be eligible under the
EMFF and therefore potentially would be minimal. These costs are not included
in the analysis. There would be minimal costs for research and education and
outreach as these would be eligible for funding under the EMFF as under option
2. For sub-option 3b the
costs would be significantly less without the requirement for dedicated
monitoring programmes as under sub-option 3a. On this basis the costs
would be similar to option 2 at €5.2 million annually until 2014 (the
detailed calculations are contained in Annex XIII). Around 95% of these costs
(€4.9 million) are related to additional monitoring and inspection by Member
States to ensure measures are being applied. This is on the basis of Member
States of observing 50 vessels for 100 days per year and inspecting 10% of the
static net and longline fleet at least once a year specifically for seabird
bycatch as per option 2. The remaining costs relate to the dissemination of
information to the fishing industry and collation and reporting of information
to DG MARE. Under sub-option 3b these costs would be slightly reduced as there
would be no costs incurred by the RFMOs. It is assumed
that costs for any monitoring of seabird bycatch under the existing DCF are
cost neutral and costs for CCTV, VMS and other alternative monitoring
technologies would largely be covered under the EMFF. In terms of simplification, many of the
mitigation measures that would be included in any regulation under these
sub-options, (e.g. bird-scaring curtains or weighted swivels) may be difficult
to define in legislation to ensure vessels implement measures in an effective
manner. This would therefore require the development of very detailed
descriptions. Some measures such as streamer lines, dyed bait and offal
discharge, are simpler to define, but more difficult to enforce as observation
at sea would be required. Others, such as circle hooks and weighting of
longlines, would be comparatively simple to define, introduce and enforce if
these were the only permitted gears allowed. More generally defining positive
lists of gears and their use in legislation could hamper the development and
uptake of innovative technical solutions, as their use would not be foreseen. 5.4. Summary
of impacts Table 10 summarises the three options
proposed with regard to their positive and negative economic, social and
environmental impacts as well as the impacts on SMES and in terms of simplification
and administrative burden. Table 10: Summary of impacts for policy options Options || IMPACTS Economic || Environmental || Social || SMEs || Simplification & Administrative Burden Option 1- Status Quo || Largely neutral but possible negative impacts on NGOs and tourism operators through loss of potential of opportunities for eco-tourism and bird-watching. || Negative - gaps in knowledge on extent of bycatch remain and bycatch continues at existing levels || Largely negative - a lack of action will lead to negative reaction from NGOs and the general public. Failure of EU to meet obligations under international agreement and Conventions. || Neutral || Neutral Option 2 – EU POA || Positive – Reduced operating costs from reduced bait loss, catch damage and catch foregone in longline fisheries. Short-term costs for adoption of mitigation measures. Measures to protect seabirds could also lead to fisheries meeting pre-requisites for certification schemes ensuring and possibly enhancing market access for products || Largely positive – Predicted reductions in bycatch of 20-30% annually following introduction of measures in longline fisheries. More difficult to predict in static net fisheries as measures are less well developed. Improved knowledge on level of seabird bycatch across a range of fisheries. Increased awareness & understanding of fishermen on avioidance of seabird bycatch. Enhancement of measures in RFMOs. || Largely positive – Acceptance by the catching sector. Positive reaction from NGOs and general public Certification of fisheries. No impact on employment anticipated. || Largely neutral on SMEs -from adoption of mitigation measures although on a voluntary basis so can be offset by tailoring measures to particular fisheries and using EMFF funding. || Largely negative – Short-term increased administration costs for national administrations, COM, RACs, and RFMOS stimated at €5.2 million. Offset in the longer-term through integration of measures into new DCF and technical measures framework post- CFP reform. Represents simplification and in line with the CFP reform in regionalising measures. Sub-Option 3a- Stand-alone regulation (mandatory monitoring & mitigation measures) || Largely negative – Reduced operating costs from reduced bait loss, catch damage and catch foregone in longline fisheries. Short-term costs for adoption of mitigation measures and possible loss of earnings. Introduction of mandatory closed or restricted areas may have a significant impact on static net fisheries. Positive impacts in that measures to protect seabirds could also lead to fisheries meeting pre-requisites for certification schemes ensuring and possibly enhancing market access. || Positive – Reductions in bycatch in fisheries where measures are introduced. Reductions are likely to be accelarated compared to option 2 as measures are mandatory. Positive benefits in improved knowledge on level of bycatch in fisheries where monitoring is mandatory. Negatives due to a reliance on current information to identify fisheries to monitor & mitigation measures & a concentration on longline and static nets fisheries. No added protection in non-EU waters. || Largely positive – Acceptance by the NGOs and general public and will aid in fisheries attaining certification. However, the prescriptive approach would not be supported by the catching sector and national administrations as they would consider it disproportionate to the scale of the problem. The imposition of widespread closed or restricted areas has the ability to impact on employment. || Largely negative with some impacts on SMEs from the imposition of mandatory measures. The introduction of mandatory closed or restricted areas has the potential to increase impacts on SMEs || Negative with increased administration and associated costs estimated at €14.4 million annually mainly incurred by national administrations, COM and RACs. Does not represent simplification and regulation approach would be inflexible and out of lien the regionalised approach advocated in the reform of the CFP. Sub-Option 3b – Stand-alone regulation (mandatory mitigation measures only) || Largely negative – Reduced operating costs for bait loss, catch damage and catch foregone in longline fisheries. Short-term capital costs for adoption of mitigation measures and possible loss of earnings. Introduction of mandatory closed or restricted areas may have a significant impact. Positive impacts from fisheries meeting pre-requisites for certification schemes ensuring and possibly enhancing market access || Positive – Reductions in bycatch in fisheries where measures are introduced. Reductions likely to be accelarated compared to option 2 as measures are mandatory. Positive benefits in improved knowledge on level of bycatch in fisheries where monitoring is mandatory. Negatives due to a reliance on current information to identify fisheries to monitor & mitigation measures & a concentration on longline and static nets fisheries. No added protection in non-EU waters. || Largely positive – Acceptance by the NGOs and general public and will aid in fisheries attaining certification. However, the presceriptive approach would not be supported by the catching sector and national administrations as they would consider it disproportionate to the scale of the problem. || Largely negative with some impacts on SMEs from the imposition of mandatory measures. The introduction of mandatory closed or restricted areas has the potential to increase impacts on SMEs || Largely negative – Short-term increased administration costs for national administrations, COM, RACs, and RFMOS stimated at €5.2 million. Offset in the longer-term through integration of monitoring into new DCF post-CFP reform. Represents simplification and in line with the CFP reform in regionlisaing measures. Source: Author Table 11 below summarises the annual estimated
administrative and management costs for options 2 and sub-options 3a and 3b.
The costs for option 1 - status quo - are assumed to be neutral. The
costs for option 2 and sub-option 3b are expected to reduce after 2014 when
monitoring is incorporated under the new DCF. The costs for option 3a are
considered to be recurring costs. No costs for research, education awareness or
training measures are included as these are difficult to estimate and in any
case would be eligible for funding under the EMFF or other funding mechanisms
(e.g. EU LIFE programme), meaning the overall costs would be greatly reduced. Table 11 A
Summary of estimated annual administration and monitoring costs Costs || Option 2 (EU-PoA) || Sub-Option 3a (Stand-alone Regulation) Monitoring and mitigation || Sub-Option 3b (Stand-alone Regulation) Mitigation only Administration || €273,540 || €262,731 || €262,731 Monitoring/Observing || €1,500,000 || €10,771,200 || €1,500,000 Inspection by Control Authorities || €3,408,121 || €3,408,121 || €3,408,121 Total Costs || €5,181,661 || €14,442,052 || €5,170,852 Source: Author 6. Comparing
the options 6.1. Qualitative
Assessment by Option The effectiveness of each option in terms
of the general and specific operational objectives (sections 3.1 & 3.2) has
been assessed as shown below in table 12 where effectiveness
is defined "as the extent to which options achieve the objectives of
the proposal". Table 12 Comparison
of the two options with regard to effectiveness compared to the status quo
option Option || General Objective || Specific Objective (1) Current management measures || Specific Objective (2) Data collection || Specific Objective (3)Mitigation measures || Specific Objective (4)Education & training || Specific Objective (5)Research Option 1 – Staus Quo || -- || -- || - || o || o || o Option 2 - EU-PoA || ++ || ++ || ++ || ++ || ++ || ++ Sub-option 3a - Stand-alone regulation with monitoring and mitigation measures || + (++ in areas/fisheries covered by the regulation) || + || + (++ in areas/fisheries covered by the regulation) || ++ || o || o Sub-option 3b - Stand-alone regulation with only mitigation measures || + (++ in areas/fisheries covered by the regulation) || + || ++ || ++ || o || o Source: Author o = neutral impact, + = positive impact, ++ = very positive impact
(relative to other options), - = negative impact, -- = very negative impact
(relative to other options), n.a. = not applicable as the options does not
cover this aspect Option 2 is considered the most
effective option. Efficiency and coherence of each proposal
has been compared to the status quo (option 1) as shown in table 13 where
efficiency is defined as "the extent to which objectives can be
achieved for a given level of resources/at least cost"; and coherence
is defined as "the extent to which options are coherent with the
overarching objectives of EU policy, and the extent to which they are likely to
limit trade-offs across economic, social and environmental domain". In
this particular case the overarching environmental objectives are laid down in
the CFP, Birds Directive, MSFD and the EU's Biodiversity Strategy. Table 13 Comparison
with regard to efficiency and coherence compared to the status quo option Option || Efficiency || Coherence Option 1 – Status Quo || - || - Option 2 - EU-POA || ++ || ++ Sub-option 3a - Stand-alone regulation with monitoring and mitigation measures || + || - Sub-option 3b - Stand-alone regulation with only mitigation measures || ++ || + Source: Author Option 2 is the most efficient and
coherent policy option. 6.2. Ranking
the options On the basis of the analysis carried out option
2 (EU-POA) is preferred in that it should lead to a reduction in seabird
bycatch across a range of fisheries and should achieve these reductions at less
cost to the fishing industry and national administrations than sub-options 3a
and 3b (stand-alone regulation). The second preferred option is sub-option
3b which would be a stand-alone regulation containing mitigation measures with
monitoring carried out as per option 2 (i.e. DCF and Birds and Habitats
Directive). This option has the advantage of dealing more expediently with
seabird bycatch for species under threat than option 2 given the likely time
frame for introduction of a new technical measures framework. It does, however,
run the risk of having the same weaknesses as have been identified with
Regulation (EC) 812/2004, which sets out mitigation measures to protect
cetaceans. The third preferred option is sub-option 3a.
While this option should result in benefits in reducing seabird bycatch, as
with sub-option 3b it runs the risk of having the same weaknesses regarding the
requirement to use mitigation measures in specific fisheries. The inclusion of
specific monitoring requirements compounds these problems and there is a
danger, as found with Regulation (EC) 812/2004, that monitoring would be targeted
in the wrong areas or at the wrong gear types. Option 1 (no change) is
the least desirable option. In the short-term, there
are economic advantages but it will not achieve the specific objectives set.
Current levels of seabird bycatch will continue to be unacceptably high and the
level of knowledge on the scale of this bycatch in relation to seabird
populations and conservation threat posed by fishing to seabirds will remain
low. There will also be no enhancement of measures already adopted in external
waters. 7. Monitoring
and Evaluation According to the FAO Best Practice
Technical Guidelines there are a number of evaluation procedures that are
needed to ensure the effective operation of a Plan of Action, the preferred
policy option. These include the following elements: ·
Regular review of information about seabird
incidental catch is necessary to enable fisheries and fishery managers to
improve performance with respect to incidental catch of seabirds. ·
Annual review of data on captures and of the
effectiveness and implementation of mitigation to ensure specifications for
mitigation devices are current best-practice and are appropriately deployed. Taking this approach, under an EU-POA, the
intention would be that Member States would report bi-annually to the
Commission on the level of seabird bycatch observed by fishery and gear type,
the implementation of any mitigation measures and the effectiveness of these
mitigation measures. The Commission working with ICES and STECF would develop a
standard reporting format to facilitate Member States and data access to the
wider public. On the basis of these reports, the
Commission would carry out an interim assessment of the EU-POA after the second
of these reports and then report to the Parliament and Council on the success
of the Plan of Action in the form of a Communication to Council and Parliament.
This report would provide the basis for evaluating: –
The current status of seabird mortality caused
by interactions with fisheries and its likely impact on populations measured
against biological indicators such as Potential Biological Removal Rates (PBR);
–
The effectiveness of mitigation measures measured
in terms of observed reductions in By Catch Per Unit Effort (BPUE); and –
The success of any education awareness measures
and new research developments based on uptake of measures. ICES, STECF and other expert bodies as
appropriate would be requested to input into this review. In particular ICES
will be asked to supply bycatch and population estimates for the species of
concern. Such data is reviewed routinely by the ICES WGSE. This would provide a
benchmark of bycatch levels with populations and provide a basis for defining management
objectives. The Commission would carry out a full
review and evaluation of the POA after the fourth report (eight years) of
implementation and update the POA accordingly. This review would be timed to
coincide with the obligation under the MFSD to reach GES by 2020. In parallel, under Article 12 of the Birds
Directive, Member States must report every three years on the implementation of
national provisions taken under the Directive. Where
relevant, Member States should also use the data collected under the EU-POA to
inform this report, particularly data on seabird populations. ANNEX I – SUMMARY
OF PUBLIC CONSULTATION Consultation
Summary Reporting
on the results of the public consultation for an EU Action Plan for reducing
incidental catches of seabirds in fishing gears Introduction Within the framework of the FAO Code of
Conduct for responsible fisheries (in particular Articles 7.6.9 and 8.5), in
1999 the FAO Committee on Fisheries (COFI) adopted an International Plan of
Action (IPOA)[70]
for reducing the incidental catches of seabirds in longline fisheries (IPOA-Seabirds).
The European Commission (EC) has indicated its intention to develop a similar
European Union Action Plan based on these guidelines and taking from the
experiences of Regional Fisheries Management Organisations (RFMOs) such as
CCALMR[71]
and countries such as Canada. In developing a proposal for a European
Plan of Action for reducing the incidental catch of seabirds in fisheries
(EU-POA Seabirds) the first step is to carry out an impact assessment which
will analyse: · the nature and scale of the problem; · who/what is affected; · the views of stakeholders concerned; · problem resolution' objectives; · proposed actions to reach those objectives; and · likely economic, social and environmental impacts of the management
options and targets proposed. The first two steps in this process have
been completed based on scientific information provided by the International
Council for the Exploration of the Sea (ICES) and other bodies such as CCAMLR. This documents reports on the results of
the public consultation that aimed to address step 3 and gather the views of
different stakeholders on the initiative proposed by the Commission.
Stakeholders were invited to comment on the scope and objectives of an EU PoA
Seabirds, as well as on the potential fields of action which the Commission
presented in its consultation document. This summary document is based on the
written contributions received. It does not draw any conclusions regarding the
options proposed nor does it represent the formal position of the Commission.
This document will support the preparation of the Impact Assessment report,
which in turn will be the basis for developing the Commission's proposal for an
EU-PoA. Contributions received The public consultation took place between
11 June and 9 August 2010, with a total of 215 contributions received. Individual contributions are available on
the dedicated website to this consultation[72].
Table 1 provides a summary of the submissions by stakeholder grouping. Table 1 - Breakdown of contributions Stakeholder Group || Number of contributions || Examples Registered organisation || 12 (6%) || Industry and fishers associations (Fishermen, fish and shellfish farmers, fish processors, wholesalers and retailers); Environmental NGOs Public authorities || 15 (7%) || Regional Advisory Councils; national administrations; Members of the EP General public || 31 chain e-mails 136 chain e-mails 19 individual submissions Total: 215 (86%) || Wide ranging Unregistered organisations || 2 (1%) || Fishermen's Association; Environmental NGO Source: Author The majority of submissions (87%) were
received from the general public. These contributions tended to be less
technical or detailed in respect of the analysis of each field of action
presented in the consultation paper. They were mainly in the form of two
"chain e-mails", in response to campaigns launched by environmental
NGOs. These e-mails came from the general public across a range of Member
States and indicated general support for the introduction of a PoA. Some were
more forthright and requested the immediate adoption of an EU PoA covering all
relevant fisheries and gears and for EU vessels operating in and outside EU
waters. In some cases these submissions also called for restrictions on or the
banning of certain fishing methods. In addition to these e-mails there was also
a small group of individual contributions from the general public. Most of
these expressed concern at the level of seabird mortality in fisheries and the
risk of loss of biodiversity. There were nine submissions from NGOs
(eight from registered organisations and one from an unregistered source),
several of which were joint submissions from two or more organisations. These
submissions were more detailed and the main points are summarized under the
relevant fields of action. Eight submissions were received from
national administrations within the EU, with one submission from an
international organisation dealing directly with incidental seabird catches.
These submissions were generally quite detailed. Three individual submissions
were received from MEPs. Two of these submissions took the form of short
letters supporting the introduction of a PoA, while one provided more detailed
comments relating to the fields of action. Four of the Regional Advisory Councils
(RACs), the North Western Waters (NWWRAC), North Sea (NSRAC), Baltic (BSRAC)
and Pelagic (PRAC) RACs submitted comments. All of these contributions were
detailed and made recommendations on the most appropriate actions to be taken. There were a further three submissions from
fishermen's representative bodies and the processing sector. Scope and objectives of the EU-PoA
Seabirds Most of the contributions received from the
general public, NGOs and national administrations emphasised the need for
protection for endangered species and many pointed to adoption of the
precautionary approach to seabird protection where
information is lacking or disparate in EU waters. All of these
contributions supported the adoption of an EU-PoA for seabirds and agreed that
it should apply across the whole EU fishing fleet operating in EU waters and in
non-EU waters. There was general consensus that longlines
and static nets fisheries are the most common causes of incidental mortality in
EU waters and should be the focus of the PoA. However, contributors also
stressed that other fishing gears should not be excluded from the PoA, namely
those gears known to be responsible for incidental catches of seabirds (e.g.
trawls, drift-nets, purse-seines). The NGOs and two of the RACs advocated that
the scope of the EU-PoA should include the artisanal and semi-professional
fisheries, as the level of incidental catches in these fisheries currently goes
largely undetected and unreported, and should be integrated into the wider
control regime (including CFP reform). One NGO considered that in line with the
Birds Directive, the EU-PoA should ensure the creation of protection zones prioritising
areas accordingly to the level of risk to seabird populations There was general consensus that priority
should be given to threatened or endangered species of seabirds and also to
areas/fishing gears where current evidence shows the existence of a problem. Two of the NGOs also highlighted that incidental seabird
catches were not only a nature conservation problem but also an issue of animal
welfare. They referred to Article 13 of the Lisbon Treaty where there is also
an obligation to integrate animal welfare considerations into EU policymaking,
including fisheries policy. Respondents from the fishermen's
representative bodies argued that the measures proposed in the consultation
paper are already covered by the Birds Directive through the implementation of
Special Protection Areas (SPAs) so there is no need for further measures. They
are concerned that such measures taken in areas outside SPAs, which are of no
special importance for the seabirds, would lead to high costs for
implementation with few benefits and at the detriment of proper and
concentrated management in the SPAs. Proposed fields of action In the public consultation a number of
specific fields of action were identified as follows: (1)
Assessing the interactions between seabirds and
fishing gears in EU waters (2)
Identification and implementation of mitigation
measures in EU waters (3)
Actions in International waters (4)
Mitigation Research (5)
Education, training and outreach (6)
Reporting of all the actions Under each of these fields of action,
stakeholders were requested to comment on the appropriateness of the actions;
on actions already being applied either voluntarily or nationally; the level of
investment needed for each action; indicate who is to take responsibility for
the action; and what are the likely economic, social and environmental impacts. The comments received under each field of
action are summarised below. Field of Action 1 - Assessing the
interactions between seabirds and fishing gears in EU waters All stakeholders groups agreed that the
interactions between seabirds and fishing gears need to be reassessed to
identify existing knowledge gaps and make it easier to define suitable and
effective management tools. Contributors also stressed that based on this
detailed assessment, it was essential that resulting measures should be put in
place in an adequate and proportionate way (e.g. priority should be given to
threatened species and fisheries identified as having a high bycatch). Such an
approach would allow the adoption of measures to match the local/regional
situations rather than a "broad brush approach". To achieve this aim,
a group comprising some of the NGOs, national governments, RACs, MEPs and a
fisherman's organisation recommended that the collection of data and
implementation of measures should follow a local or regionalized approach. This
should take into account the specificity of the fishing gear and practices,
fishing season, distribution of seabird population and their state of
conservation. There was general agreement that collection
of data and reporting on incidental catches of seabirds needs to be mandatory
rather than voluntary. Data collection through on-board observer programs,
remote recording (e.g. CCTV) and logbook recording in the case of
small-scale fisheries were highlighted as the most appropriate means of
monitoring. One national government pointed out that the collection of data can
be costly and encouraged the Commission to assess the impact of these
monitoring options carefully in its impact assessment before introducing new
monitoring measures. The NGOs, two of the RACs and one national
government focused on existing monitoring under the Data
Collection Framework (DCF[73]).
Monitoring requirements under the Marine Strategy Framework Directive (MFSD[74]) and the Control Regulation[75] could also be broadened to
cover the monitoring of seabird incidental catches (no details of how this
could be achieved were given). Using existing monitoring programmes would avoid
duplication and reduce the burden on industry and national administrations. Many of the NGOs advocated the
implementation of observer programmes. Two of the RACs, however, expressed
concern that introducing additional extensive monitoring programmes would not
necessarily be practical and capable of delivering detailed information on the
level of incidental catches, given that such catches can be occasional and
unpredictable events. One RAC suggested concentrating efforts initially through
pilot studies in known “hot-spots” or existing Natura 2000 sites, with the
objective of establishing the scale of the problem in these high risk areas. Other contributors (two NGOs and a national
government) highlighted the fact that there are several existing projects in EU
waters under the LIFE and Natura 2000 programmes that are collecting data and
developing management recommendations for reducing incidental catches of
seabirds. Field of Action 2 - Identification and
implementation of mitigation measures in EU Waters It is generally understood that all
mitigation measures will have some impacts on fishing activities. The choice
and implementation of measures should follow a step by step approach, balanced
between the conservation objectives, economic profitability and safe working
conditions as presented in the consultation paper. There is general
understanding that a detailed assessment of the interactions between seabirds
and fishing activities is essential before agreeing on mitigation measures
which may have a significant socio-economic and environmental impact. For
situations where the information available shows the existence of a serious
problem[76],
measures to limit incidental catches of seabirds should be put in place as soon
as possible, particularly in areas designated under Natura 2000. Such sites
should also be used as areas for testing the efficacy of mitigation measures. NGOs and one RAC call for the application
of measures that can simultaneously mitigate the incidental catch of other
animal groups in general, where appropriate. Opinions on the implementation of measures
were varied. Several members of the general public sought restrictions or even
the banning of longline and static nets fisheries, whereas the majority of the
NGOs, RACs and national administrations recommended that these measures be
incorporated into the current EU technical measures legislation as part of the
reform of the CFP. One national government suggested that the PoA should be on
a voluntary/non regulatory basis as it was felt that this may be more effective
and would achieve better industry buy-in. One of the fishermen's representative
organisations was directly opposed to any additional measures with particular
reference to the static nets fisheries. Several submissions pointed to the fact
that since drift netting was banned in the Baltic and in the high seas, the
problem of seabird incidental catches had reduced significantly without
additional measures. Concerning mitigation measures, there was
general agreement that a combination of measures of proven efficacy and
cost-effectiveness should be implemented to fishing gears. For longlines, NGOs
and one national government identified line weighting as the most effective and
practicable measure. One fishermen's organisation contested the use of this
method on safety grounds, backed up by comments from the RACs, national
governments and the other fishermen's organisations. NGOs and one of the RACs highlighted that
along with the application of mitigation measures there should be regular
monitoring and review of their implementation and performance through the
control agencies in conjunction with scientific studies and possibly
self-reporting by fishermen. An adaptive management approach would allow the
improvement of practices over-time in light of experience, dedicated research
was favoured by the majority of respondents. NGOs, Fisherman's organisations, the RACs,
national and regional governments and the international organisation all
provided information on avoidance measures already in place at local, regional
and international level, and also to other fishing gears in addition to
demersal longlines and static nets. A few contributors added that input from
commercial fishermen to determine the best practice for their respective
fisheries should be sought. Field of Action 3 – Actions in
International waters There were only limited comments on actions
in international waters. Of those received most advocated that measures
introduced in EU waters should also apply to EU vessels operating in
international waters. Several NGOs commented that implementation and compliance
with mitigation measures adopted by a number of RFMOs remained low. The measures adopted by CCALMR were
highlighted by several contributors as being the most effective, achieving
significant reductions in seabird mortality. However, the success in CCLMAR
should not be considered a panacea for all fisheries. The measures were
designed specifically for large-scale demersal longline fisheries in one
particular fishery and maybe wholly unsuitable for other areas. Field of Action 4 – Mitigation Research Continuing research into mitigation
measures and data collection were seen as essential by many of the respondents.
Several submissions indicated that future research should focus more on testing
the efficacy of mitigation in static nets fisheries rather than longlines given
that many mitigation measures already were well tested and have been adopted in
longline fisheries. Research into the level of incidental catches and the
development of mitigation measures for other fishing methods (e.g. trawls and
purse seines) was also highlighted as a priority. One NGO highlighted the need to capture
socio-economic data when researching mitigation measures. It was highlighted
that there are potential benefits for fishers for adopting such measures,
particularly in gaining accreditation on the basis of best practice. This was
seen as a strong driver in longline fisheries rather than static nets
fisheries. Field of Action 5 – Education, training
and outreach Many submissions pointed out that it was
important that the necessary education, training and outreach are made
available to fishers and other stakeholders to raise awareness about the
problem of seabird bycatch and its practical solutions. Several of the NGOs pointed out that
education of fishers in the safe handling and release of seabirds caught alive
was necessary. Several submissions pointed to the
development of fact sheets assessing the effectiveness of mitigation measures,
the strengths and limitations of these measures. One NGO highlighted the need for sharing
experiences, skills and knowledge and the need for technology transfer.
Cooperation between the RACs and also between Member States was seen as
essential in achieving this. Field of Action 6 – Reporting of all
actions One of the national administrations agreed
with the Commission that reporting of each of the actions is necessary in order
to assess progress and effectiveness. Reporting should be simple without
creating any additional burden on national administrations. One of the NGO's highlighted the FAO Best
Practice guidelines and the need to establish a framework including indicators
to monitor implementation. Several submissions refer to stakeholder
workshops as a good assessment mechanism. Cross-Cutting Issues Two issues arose as being common to all of
the fields of action: responsibility and investment. (a)
The majority of contributors agreed that the
Commission is the main player but that the Member States, the RACs, RFMOs
(where appropriate) and NGOs have a vital role to play in developing and
implementing co-management measures. (b)
In general, contributors did not provide
information on the level of investment required under the different Fields of
Action. Many contributors agreed that a better
understanding of the interactions between seabirds and fishing gears would
enable targeted and efficient action that would minimise costs to stakeholders.
There was also a general understanding that
there are mitigation measures of relatively low cost
that can be effectively applied in many fisheries. Nevertheless, additional
financial resources were foreseen by a number of contributors to support the
cost of different mitigation actions to be applied in different fishing gears. It was suggested in a number of submissions
that the European Fisheries Fund (EFF) was the most appropriate mechanism.
Funding could, also, be made available through the Seventh Framework Programme
(FP7) – or, its successor. Additional fields of actions One NGO made a detailed submission on an
additional field of action regarding the establishment of seabird incidental
catch reduction objectives i.e. the setting of attainable goals for the
reduction of incidental mortality, in terms of either bycatch rate and/or the
numbers of seabirds caught over a measured time period. They point out this is
included in the FAO best practice guidelines. One of the public authorities and one of
the NGOs advocated the addition of observer programmes as a new field of
action, pointing to the recommendation by ICES for the development of systems for
monitoring incidental catches and implementing a coordinated and standardised
at-sea observer programme. Again they pointed to the FAO best practice
guidelines. Timelines A number of submissions point to the lack
of urgency on the Commissions behalf in moving this issue forward and delays in
producing an EU-PoA. Several highlight that the consultation document lacks
timelines for its objectives and point out that nine years have elapsed since
this initiative was first discussed. ANNEX II –
EXECUTIVE SUMMARY FROM MRAG STUDY Background In 1999, the FAO Committee on Fisheries
adopted an International Plan of Action (IPOA) for reducing the Incidental
Catches of Seabirds in Longline Fisheries and called for States to begin its
implementation no later than 2001. The European Commission, in fulfilment of
its responsibilities as a contracting party of international organisations
acting in the context of the IPOA, is committed to developing a plan of action
to reduce the incidental catches of seabirds in fishing gear. This report presents the findings of
research carried out by MRAG Ltd and its partners, Poseidon Aquatic Resources
Management Ltd and Lamans Management Services s.a., to contribute to the
development of a European Community Plan of Action for Seabirds. Objectives
& Methodology The main aim of
this study was to assess existing mitigation measures and their effectiveness
in key areas where incidental catches of seabirds have been identified as
occurring, based on a study by the Working Group on Seabird Ecology of the
International Council for the Exploration of the Sea. Six case study fisheries were
used to explore the scale and extent of seabird bycatch, assess fishers’
perception of the issue, identify existing and potential mitigation measures,
and assess their cost-effectiveness. The following
case studies were covered: For longline fisheries: ·
the Gran Sol (demersal) (ICES area VIIj); ·
the western Mediterranean (pelagic and demersal)
(Spain) (GSA 5 & 6); ·
Maltese and Greek waters (pelagic and demersal)
(GSA 15, 20, 21, 22, 23); For gillnet fisheries: ·
the ‘eastern’ Baltic Sea (Estonia, Latvia,
Lithuania) (ICES area IIId); ·
The ‘western’ Baltic Sea (Germany, Denmark,
Sweden) (ICES area IIIb, c, d); and ·
The eastern North Sea (Netherlands) (ICES area
IV). The study was
based on direct consultation with the fleets operating in the case study areas,
as well as data and information from fisheries departments, researchers and
NGOs working in related fields. Existing information on the case study fisheries, seabird populations in the
case study areas, fishery-seabird interactions and mitigation measures were
compiled. A questionnaire was developed and implemented as a small scale survey
of between 10-52 respondents per case study fishery in order to explore fishers’
usual gear deployment and fishing patterns, experiences of interactions with
seabirds, their use of and opinions on a selection of mitigation measures, the
costs and benefits associated with different mitigation measures, and their
general opinions on fishery-seabird interactions. A cost-effectiveness score and ranking for
the various mitigation measures was estimated for each case study, based on
cost impact scores and estimates of effectiveness (based on fisher perception)
as well as across fleets incorporating estimates of public sector costs. The potential impacts of bycatch levels
reported by fishers interviewed for the case study fisheries on seabird
populations were explored by comparing estimates of total annual bycatch across
fleets and regions with estimates of Potential Biological Removal (PBR) where
possible. Seabird-fishery interactions Seabirds primarily interact with fisheries as
they forage, and therefore foraging behaviour often determines their
vulnerability to being caught in fishing gear. In the case of longline
fisheries, species that plunge dive or pursuit dive are particularly vulnerable
to being caught during setting or hauling of longlines (both demersal and
pelagic) as they are able to access bait even at substantial depths under the
surface. This behaviour is exhibited in particular by shearwaters, gannets and
auks. Surface-seizing birds such as gulls and fulmars are also vulnerable, as
the baited hooks can take a while to sink below the surface when setting. In gillnet fisheries birds that are likely
to get entangled in nets are mostly birds that dive from the surface near to
the coast to either forage on the bottom or pursue prey through the water
column. This foraging behaviour is common amongst species such as sea ducks, diving
ducks, divers/loons, grebes, cormorants and auks. A number of the seabird species that are
vulnerable to bycatch in the Mediterranean, Gran Sol, Baltic and the North Sea
case study fisheries are of global or European conservation concern. Five species
have a global IUCN redlist status of ‘Near Threatened’ or higher: Balearic shearwater
(Puffinus mauretanicus) (Critically Endangered), Steller’s eider (Polysticta
stelleri) (Vulnerable), Audouin’s gull (Larus audouinii), Sooty
shearwater (Puffinus griseus), and Yelkouan shearwater (Puffinus
yelkouan) (Near Threatened). An additional four species have a Species of
European Concern (SPEC) status of ‘2’ (global population is concentrated in
Europe, where it faces unfavourable conservation status): the Common pochard (Aythya
farina), Cory’s shearwater (Calonectris diomedea), Black guillemot (Cepphus
grylle) and Manx shearwater (Puffinus puffinus). Case study results - Longline fisheries The Mediterranean demersal longline
fisheries operate using small vessels (under 12m), close to the coast,
targeting predominantly hake and breams, and often use longlining as one of a
number of different fishing methods. The Mediterranean pelagic longline
fisheries target swordfish and mainly albacore as well as other tuna species and
use larger vessels, ranging more widely, but the vessels are still relatively
small compared to other longline fleets, generally under 24m in length. The key seabird species in the region that
either interact with fisheries commonly, or are species of conservation concern
with important breeding or wintering areas are Cory’s shearwater, Yelkouan
shearwater, Balearic shearwater, Audouin’s gull and Yellow-legged gull. These
species are present in the Mediterranean predominantly in the breeding season,
but many individual birds also winter in the area. Previously reported bycatch
rates have generally been higher for these species in the demersal longline
fishery than in the pelagic longline fisheries. Some factors considered to
influence bycatch in Mediterranean longline fisheries include fleet type,
season, setting time, geographical location and presence or absence of
trawlers. Pelagic longline fishers interviewed in
Spain suggested that the albacore fishery had more significant interactions
with seabirds than the swordfish fishery, as the lines are set closer to the
surface of the water and smaller hooks are used. In general the longline fishers surveyed in
the Mediterranean did not view seabird bycatch as a problem, as individual
experiences of bycatches of seabirds were rare occurrences (e.g. around 5 birds
per fisher per year). The potential mitigation measures that were
considered acceptable by the fishers in the Mediterranean longline fisheries, and
that were most cost-effective, were the use of offal/excess bait management,
ensuring bait is thawed before use, and the use of streamer lines. Setting
lines at night is potentially one of the most effective mitigation measures for
avoiding seabird interactions, but, many of the fishers expected this to have
significant negative impacts on their catches and revenue. However, some
demersal fishers in Spain, Greece and Malta, and some pelagic fishers in Greece
and Malta, already practise night-setting and the potential for implementing
this across the fleets as a requirement should be explored. The Gran Sol demersal longline fleet
operates in Gran Sol and the Porcupine Bank, moving further north in summer to
the fishing grounds West of Scotland, and then move further south in winter.
The vessels are 24–40m in length and stay at sea for 2–3 weeks at a time. The
key seabird species in the region that either interact with fisheries commonly
or are species of particular conservation concern with important breeding or
non-breeding areas include Northern fulmar, Nothern gannet, Great shearwater,
Sooty shearwater, Manx shearwater, Cory’s shearwater and Black-legged
kittiwake. The Gran Sol fleet has previously been identified as having
significant seabird bycatches. However, fishers interviewed for this study suggest
that since these previous studies were carried out, the fleet has adopted
night-setting with reduced deck lighting, and use of streamer lines, as general
practice, which has reportedly reduced seabird bycatches significantly. There
is a need, however for the lower bycatch rates reported by Gran Sol fishers in
this study to be verified, and for potential interactions with seabirds in the
northern part of their area of operation to be further explored. Case
study results - gillnet fisheries For the gillnet
fisheries studied, the recent ban on driftnet fishing in the Baltic due to
potential interactions with harbour porpoise has caused some suspicion amongst
the fishing community and some were reluctant to take part in the current study
as a result. In the eastern Baltic countries (Estonia, Latvia
and Lithuania) large numbers of small-scale coastal gillnetters operate
throughout the coastal area and often in shallow water, targeting cod,
flounder, bream, herring and smelt, and sometimes turbot. The Baltic is
generally more important for wintering birds than breeding birds in terms of
numbers. Birds in the eastern Baltic that interact with fisheries commonly or
are species of conservation concern with important wintering areas in the
region are Black guillemot, Black-throated and Red-throated divers, Velvet
scoter, Steller’s eider and Long-tailed duck. Based on the latest published
population estimates, the greatest proportion of wintering populations of
seabirds in the eastern Baltic occurs in the Gulf of Riga-Irbe Strait (Estonia
and Latvia) and Saaremaa and Hiirumaa west coasts (Estonia). Seabird bycatch
rates estimated from fisher questionnaires were similar to previous studies in
Estonia, but significantly lower in Latvia and Lithuania. Most fishers interviewed
did not consider seabird bycatch to be a problem in the region and did not
believe it impacts on bird populations, particularly as some seabird species
are hunted. As a result many of the potential mitigation measures were not
considered to be acceptable or necessary; those considered acceptable to some
fishers included spatial and temporal closure of which they already have
experience and setting nets deeper where practical. In the western Baltic countries covered (Denmark
and Sweden), the gillnet fisheries are in decline due to lower cod quotas in
recent years and the increasing age of gillnet fishers. Seabird species that
either interact with fisheries commonly, or are species of conservation concern
with important breeding or wintering areas in this case study region include
Tufted duck, Common scoter, Common pochard, Greater scaup, Red-breasted
merganser, Slavonian grebe, Velvet scoter, Common eider, Black guillemot,
Long-tailed duck, Common guillemot. Based on the latest published population estimates,
the greatest proportions of wintering populations for these species occur in
the Szczecin and Vorpommen lagoons and Pomeranian Bay (Germany/Poland),
north-west Kattegat (Denmark/Sweden) and Hoburgs Bank (Sweden). In Denmark, questionnaire
responses indicated that the lower number of fishers has reduced competition
for space and facilitated voluntary avoidance of areas with high concentrations
of seabirds by fishers. In Sweden, bycatch rates are relatively low because the
nets are set in much deeper waters. Part of the Swedish gillnet fleet has also
switched to longlines for cod in the winter months, but unfortunately assessing
the implications of this with respect to seabird bycatch was not within the
scope of this study. As with the eastern Baltic, potential mitigation measures
such as spatial and temporal closures were not considered to be acceptable to
the majority of fishers interviewed. Seabird species in Dutch waters of the
Eastern North Sea that are reported to interact with fisheries and/or are of
conservation concern include the Red-throated diver, Tufted duck, Greater
scaup, Goosander, Great-crested grebe, Red-breasted merganser, Great cormorant
and Common eider. Additionally, the Common guillemot was a key species in the
designation of the Natura 2000 site Frisian Front under the EU Birds Directive.
The Dutch Ministry of Agriculture, Nature and Food Quality recently signed an
agreement with Dutch environmental NGOs and the Dutch industry to work together
to achieve sustainable fishing with the framework of the Fisheries Measures in
Protected Areas (FIMPAS) project, through which fisheries measures are
currently being developed for Natura 2000 sites including the Frisian Front. In
the Frisian Front, the main objective is to maintain current population sizes
of key seabird species, such as the Common guillemot, and despite lack of hard
evidence of bycatch of seabirds in this area fisheries measures will be
implemented based on the precautionary approach. In the wider Dutch gillnet
fisheries, a reduction in effort, coupled with voluntary avoidance measures and
visual deterrents (bird-scaring ribbons), appear to have been effective at
reducing seabird bycatch. Cost and effectiveness of mitigation
measures All mitigation measures were assessed by
fishers as resulting in a negative economic impact or at best neutral; there
was no consideration by fishers of the potential economic benefits some of the
mitigation measures might elicit. The latest AER data at the time of the report
shows that gill netters make a loss of 13% and long lines a profit of 4.3%;
therefore mitigation measures mainly increase fleet losses and for a few reduce
profits. Fishers primary concern was of loss to catch caused by use of
mitigation measures rather than increased operating costs. Estimated cost effectiveness ranks for
mitigation measures were highly fishery specific. Therefore when cost
effectiveness rankings were pooled and assessed across fleets, economic impacts
were likely to have been overestimated. However, the results were sufficient
for broadscale comparative analysis. Cost-effectiveness of spatial and temporal
restrictions could not be estimated as they depend greatly on specific cases so
fisher estimates were worst case. Generally fisher preference was for practical,
low-tech measures i.e offal discharge, streamers, thawing bait for longlines
and buoys with bird scarers and other visual deterrents for gillnets. Least
cost-effective measures were estimated to be circle hooks and bird-scaring
curtains for longlines and setting nets deeper and acoustic pingers for
gillnets. Potential impacts of bycatch on seabird
populations Annual estimates of seabird bycatch across
fleets and regions illustrate a different outlook to individual fishers’
opinions on the significance of seabird bycatch due to cumulative effects of
low levels of bycatch experienced locally. Scaled up to take account of the
total effort in the fishery, bycatch estimates from the surveys indicated that
substantial numbers of seabirds are potentially being caught annually in some
of these fisheries. Comparison of annual estimates by species groups with
species specific estimates of incidental take that would not pose a threat to
populations involved (PBR), suggest that the levels of bycatch reported by
Spanish demersal longline fleets (in the Mediterranean and the Gran Sol) and
Greek demersal and pelagic longline fishers interviewed, have the potential to influence
population status of at least two seabird species that occur in the
Mediterranean. These include the threatened Balearic shearwater and the more
abundant Cory’s shearwater which also occurs more widely throughout the
Mediterranean and the Atlantic and is therefore likely to be impacted by
fisheries elsewhere (e.g. Gran Sol). Relating bycatch estimates of seabirds
from the surveys in the Baltic to species specific PBR estimates published
previously, was not possible due to the number of different species involved
and the non-species specific resolution of bycatch estimates generated by the
questionnaire. Bycatch estimates generated from the fisher
surveys varied greatly for both gillnets and longlines and highlight the urgent
need for data collection to enable impacts to be assessed more accurately than
was possible in this study. Conclusions Scientific literature indicates levels of
seabird bycatch are significant within case study regions with the potential to
impact bird populations; bycatch levels reported by fishers surveyed were
broadly similar. Both vulnerable and common bird species are impacted in all
case study regions and results from this study suggest that at least two
shearwater species in the Mediterranean are potentially impacted at
unsustainable levels by longline fisheries in the region. Published results for longline bycatch
mitigation trials illustrate that simple measures can greatly reduce seabird
bycatch (up to 100% when a combination of measures is applied) but results do
vary greatly between fisheries, regions and bird species. Potential mitigation
measures (based on fishery characteristics and bird species present) were
broadly similar across longline case studies and included those that have been
proven to be effective, such as offal management, thawing bait prior to use,
streamer lines, night-setting with reduced deck lighting and increasing line
weight. Application of some or all of these measures should be implemented in
fisheries where problems have been highlighted. However some flexibility in the
selection of measures might be warranted, as fishery specific characteristics
(e.g. most vulnerable species present and gear configuration and deployment
patterns) suggest that practicalities or refinements of measures need to be
assessed or developed on a case-by-case basis. In general, there has been much less
research carried out on seabird bycatch mitigation measures for gillnet
fisheries than for longline fisheries. Visual cues and deterrents may be
cost-effective, but pilot studies in the region are required to test their
effectiveness. This would also help raise the awareness of the fishing
community about the potential for their application, as many fishers were not
aware of many of the potential mitigation measures, or did not believe they
would be effective, particularly in the Baltic Sea. Spatial and temporal restrictions
may be the only possible way of ensuring no seabird bycatch in certain
important areas and times, but would encounter strong resistance from the
fishers. Recommendations In European fisheries for which there is a
likelihood that seabird populations, particularly threatened species, are
currently being affected by incidental catches at unsustainable levels,
mitigation measures should be introduced and enforced as soon as possible.
Management measures should also be developed for fisheries within Natura 2000
sites. In order to balance conservation concerns with the needs of fishers in
these areas, consideration of incentive-based implementation and adaptive
management frameworks should be considered to increase levels of compliance
over the longterm. In line with the precautionary approach, measures might also
be warranted in fisheries for which the extent of seabird bycatch is currently
unknown. Ideally, a results based management
approach is recommended, whereby fisheries in general should reduce their
seabird bycatch by, or to, a specified level. Currently, however, the data
available do not easily allow for bycatch limits or thresholds to be set;
therefore there is an urgent need to develop effective data collection methods
for seabird bycatch data across all EU fisheries to enable cumulative bycatch
estimates to be assessed. There is also currently no means by which bycatch
levels could be monitored against management thresholds and this needs to be
addressed. Further research is required to assist the
process of determining acceptable levels of additional mortality that
populations can withstand, from fisheries and other human-induced mortalities
such as hunting that are under the jurisdiction of the Commission. Additional
research testing, of both established and new mitigation measures should also
be prioritized and may provide a means of engaging industry in the management
process as well as contributing information for setting bycatch reduction
targets. The fact that most of the fishers
interviewed in all case studies did not consider seabird bycatch to be a problem
indicates that further outreach work with the fishing community is necessary in
order to build their understanding and support for the need for mitigation
measures, if implementation of a Community Plan of Action for Seabirds is to be
successful. ANNEX III – ANNUAL
SEABIRD BYCATCH FROM SELECTED EU LONGLINE AND STATIC NET FISHERIES Published
estimates of annual seabird bycatch in the case study longline fisheries
(the number
in brackets are the estimates from the questionnaires carried out as part of
the MRAG study) Fishery || Estimates of total annual seabird bycatch || Main Species Western Mediterranean Pelagic Longlines (Spanish vessels) || 300-700 (329±176) || Cory's shearwater and Balearic shearwater Western Mediterranean Demersal Longlines (Spanish vessels) || 656-2829 (8620±4579) || Cory's shearwater, Balearic shearwater and Yelkouan shearwater Eastern Mediterranean Pelagic Longlines(Maltese, Greek vessels) || n/a (4615±3876) || Cory's shearwaters Eastern mediterranean Demersal Longlines (Malteste, Greek vessels) || 1,231 (6846±4006) || Cory's shearwater and Yelkouan Sheartwater Gran Sol Demersal Longlines (Spanish Vessels) || 56,307 (2620±139) || Shearwaters, Northern Fulmars and Northern Gannets Source: MRAG
Study Published
estimates of annual seabird bycatch in the case study static net fisheries
(the number
in brackets are the estimates from the questionnaires carried out as part of
the MRAG study) Fishery || Published estimate of total annual seabird bycatch || Main Species Eastern North Sea static nets (Netherlands vessels) || ~12,000 (611±239) || Tufted duck, Greater scaup, Great-crested grebe Eastern Baltic (Estonian, Latvian, Lithuanian) || ~16,500 (35,400±10063) || Long-tailed ducks, Velvet scoter, divers, Steller's eider Western Baltic (Swedish, Danish, German) || ~18,000 (60,039±8774) || Common eider, Common guillemot, Great cormorant Source: MRAG
Study ANNEX IV –
CONSERVATION STATUS OF SPECIES OF CONSERVATION CONCERN AND VULNERABLE TO
BYCATCH IN EU WATERS Common Name || Scientific Name || IUCN Redlist status[77] || SPEC status[78] || Birds Directive Listing || Areas || Fishing Gears Red-throated diver || Gavia stellata || LC || SPEC 3 || Yes, including Annex I || Eastern North Sea & Eastern Baltic || Static Nets Black-throated diver || Gavia arctica || LC || SPEC 3 || Yes, including Annex I || Eastern Baltic || Static Nets Slavonian grebe || Podiceps auritus || LC || SPEC 3 || Yes, including Annex I || Western & Southern Baltic || Static Nets Cory's shearwater || Calonectris diomedea || LC || SPEC 2 || Yes, including Annex I || Widespread in Mediterranean & NE Atlantic || Longlines Sooty shearwater || Puffinus griseus || NT || SPEC 1 || Yes || NE Atlantic || Longlines Manx shearwater || Puffinus puffinus || LC || SPEC 2 || Yes || NE Atlantic || Longlines Balearic shearwater || Puffinus mauretanicus || CE || SPEC 1 || Yes, including Annex I || Western & Eastern Mediterranean || Longlines, Purse Seines & Static Nets Yelkouan shearwater || Puffinus yelkouan || NT || Non SPEC_E || Yes, including Annex I || Western & Eastern Mediterranean || Longlines, & Static Nets Shag || Phalacrocorax aristotelis || LC || Non SPEC_E || Yes, including Annex I (Med spp) || Western & Eastern Mediterranean || Longlines & Static Nets Common pochard || Aythya ferina || LC || SPEC 2 || Yes || Western Baltic & Eastern North Sea || Static Nets Tufted duck || Aythya fuligula || LC || SPEC 3 || Yes || Easten North Sea (coastal lakes) || Static Nets Greater scaup || Aythya marila || LC || SPEC 3W || Yes || Western Baltic Eastern North Sea || Static Nets Common Eider || Somateria mollissima || || || Yes || Widespread || Static Nets Steller's eider || Polysticta stelleri || VU || SPEC 3W || Yes, including Annex I || Eastern Baltic || Static Nets Long-tailed duck || Clangula hyernalis || || || Yes || Eastern & Western Baltic & North Sea || Static Nets Black scoter || Melanitta nigra || || || Yes || Western & Southern Baltic || Static Nets Velvet scooter || Melanitta fusca || LC || SPEC 3 || Yes || Western & Southern Baltic || Static Nets Smew || Mergellus albellus || || || Yes, including Annex I || Western & Southern Baltic || Static Nets Mediterranean gull || Larus melanocephalus || LC || Non SPEC_E || Yes, including Annex I || Mediterranean || Longlines Audouin's gull || Larus audouinii || NT || SPEC 1 || Yes, including Annex I || Western & eastern Mediterranean || Longlines Black-legged kittiwake || Rissa tridactyla || LC || Non SPEC || Yes || NE Atlantic || Longlines & Static Nets Common guillemot || Uria aalge || || || Yes, including Annex I (ssp. Ibericus) || Western & southern Baltic, North Sea & NE Atlantic || Static Nets Brünnich's guillemot || Uria lomvia || || || Yes || Western & southern Baltic & North Sea || Caught occasionally in static nets Razorbill || Alca torda || || || Yes || North Sea & NE Atlantic || Static Nets Black guillemot || Cepphus grille || LC || SPEC 2 || Yes || Western & Southern Baltic || Static Nets Sources: Birdlife International, 2004, Birdlife
International, 2011: EU Birds Directive, 2009 ANNEX V – DIFFERENT
TYPES OF LONGLINES AND STATIC NETS Longlines Pelagic Longline Demersal
Longline Static Nets Drift net Set
Gillnet Source: www.fish.org ANNEX VI –
DESCRIPTION OF INTERNATIONAL AGREEMENTS AND CONVENTIONS The OSPAR Convention The Convention for the Protection of the
Marine Environment of the North-East Atlantic (the "OSPAR Convention")[79], provides a mechanism by which
governments[80],
together with the European Union, cooperate to protect the marine environment
of the North-East Atlantic. Work to implement the OSPAR Convention and its
strategies is taken forward through the adoption of decisions, which are
legally binding on the contracting parties, recommendations and other
agreements. Decisions and recommendations set out actions to be taken by
the contracting parties. Of most relevance to seabirds are the OSPAR List of
Threatened and/or Declining Species and Habitats, which include a number of
species of seabirds which are caught as bycatch in fishing gears. OSPAR
examines data with a view to make recommendations for future assessment and
monitoring. HELCOM The Helsinki Commission, or HELCOM, works to
protect the marine environment of the Baltic Sea from all sources of pollution
through intergovernmental co-operation between Denmark, Estonia, the European
Community, Finland, Germany, Latvia, Lithuania, Poland, Russia and Sweden. HELCOM
is the governing body of the Convention on the Protection of the Marine Environment
of the Baltic Sea Area, more usually known as the Helsinki Convention. HELCOM’s
vision for the future is a healthy Baltic Sea environment with diverse
biological components functioning in balance, resulting in a good ecological
status and supporting a wide range of sustainable economic and social
activities. HELCOM encourages contracting parties to carry out research on
seabird bycatch, as well as monitoring and reporting. Barcelona Convention The Barcelona Convention of 1976[81], amended in 1995, aims to
reduce pollution in the Mediterranean Sea and to protect and improve the marine
environment in the area, thereby contributing to its sustainable development.
Of particular relevant is the Protocol concerning specially protected areas in
the Mediterranean, to which the Community acceded in 1998[82]. This requires the protection
of natural resources in the Mediterranean region, preservation of the diversity
of the gene pool and protection of certain natural sites through the creation
of a series of specially preserved areas. It introduces national or local
measures which the Parties must take in order to protect animal and plant
species throughout the Mediterranean area. The annexes to the Protocol include
a list of common criteria which the Parties must respect when choosing which
marine and coastal areas are to be protected under the system of specially
protected areas of Mediterranean importance (SPAMI). The annexes also list
threatened or endangered species as well as a list of species whose
exploitation is regulated. The Barcelona Convention has also drafted guidelines
for reducing bycatch of seabirds in the Mediterranean region. These guidelines
assess seabird-fishery interactions and provide information about mitigation
tools and techniques. The Bonn Convention The Convention on the
Conservation of Migratory Species of Wild Animals (also known as CMS or Bonn
Convention)[83]
aims to conserve terrestrial, marine and avian migratory species throughout
their range. It is an intergovernmental
treaty, concluded under the aegis of the United Nations
Environment Programme (UNEP), concerned with the conservation of wildlife and
habitats on a global scale. Since the Convention's entry into force, its
membership has grown steadily to include 116 (as of 1 July 2011) parties from
Africa, Central and South America, Asia, Oceania and Europe. The Convention
acknowledges the importance of protecting migratory species being endangered
including seabirds. Species are included in Appendix I (for immediate
protection) or Appendix II (to conclude international agreement), as for
example Southern Hemisphere albatrosses and several petrel species. A
resolution on bycatch was adopted at the Sixth Meeting of the Parties of the
Bonn Convention, which reaffirms the obligation on all Parties to protect
migratory species against bycatch, including seabirds (Resolution 6, November
1999)[84]. One multilateral Agreement that has been
concluded to date under the auspices of CMS is the
Agreement on the Conservation of Albatrosses and Petrels (ACAP)[85]. This is a legally binding
international treaty whose objective is to achieve and maintain a favourable
conservation status for albatrosses and petrels through mitigation measures to
reduce incidental bycatches of these species in fisheries. This agreement aims
to tackle, through international cooperative action, the incidental catch of
seabirds during longline and trawl fishing operations, which is considered the
most significant threat to albatrosses. It entered into force on 1 February
2004 and has 13 member countries and covers 29
species of albatrosses and petrels. Among EU Member States, France,
Spain and the UK are signatories to this agreement. This Agreement is relevant
for the EU Member States long-distance fishing vessels and is key to
biodiversity strategies in some of the Overseas Countries and Territories of
the EU Member States. The Convention on Biological Diversity For reasons of consistency between its internal
and external action, the EU is committed to international cooperation for the
protection of biodiversity in accordance with Article 5 of the United Nations Convention
on Biological Diversity (CBD)[86]
and decisions taken at the Conference of the Parties. Of particular relevance
for seabirds is the global target agreed at the Tenth meeting that envisages
that by 2020 the extinction of known threatened species
has been prevented and their conservation status, particularly of those most in
decline, has been improved and sustained. In addition, the fisheries target envisages that by 2020 all fish and invertebrate
stocks and aquatic plants are managed and harvested sustainably, legally and
applying ecosystem based approaches, so that overfishing is avoided, recovery
plans and measures are in place for all depleted species, fisheries have no
significant adverse impacts on threatened species and vulnerable ecosystems and
the impacts of fisheries on stocks, species and ecosystems are within safe
ecological limits. A consistent approach between fisheries and
environment external policies is needed in order to develop adequate measures
that require engagement pursuant to the CBD targets agreed in Nagoya. Successful
marine conservation and management at international level require sustained
actions in different bodies, in line with EU action plans and strategies, to
ensure coherence and complementarities between RFMOs, fisheries agreements and
environment conventions, such as CITES, CMS, Regional Seas Conventions, UNSDC
(Rio+20), as well as support to ongoing work on the conservation of marine
biodiversity in areas beyond national jurisdiction. International Agreements The United Nations Convention on the Law of
the Sea (UNCLOS)[87]
is the comprehensive regime of law and order covering the world's oceans and
seas. Within UNCLOS are rules governing all uses of the oceans and their
resources. The Convention establishes the requirements for signatories to
conserve and manage targeted and associated species within EEZ waters and to
cooperate with other States in the conservation and management of living
resources in the areas of the high seas. International-level action is also taking
place under the UN framework to promote and to put into place new implementing
measures to cover marine biodiversity in areas beyond national jurisdiction
(such as the high seas and the deep sea bed), aiming to create marine protected
areas, environment impact assessment and strategic environment assessment of
human activities and fair and equitable sharing of genetic and biological
resources. The United Nations Fish Stock Agreement
(UNFSA)[88]
is an implementing agreement for provisions of UNCLOS regarding the
conservation and management of straddling stocks and highly migratory fish
stocks. UNFSA carries an obligation to apply the precautionary approach and
ecosystem-based management when managing fisheries on the high seas and in
waters under the jurisdiction of coastal states. ANNEX VII NATIONAL
MEASURES INTRODUCED INTO CASE STUDY FISHERIES Area || Gear Type || Member States Involved || Measures Introduced || Effectiveness Western Mediterranean || Pelagic & Demersal Longlines || Spain, Italy, France || No mandatory fisheries measures except for fishing effort restrictions. Evidence of voluntary use of line weighting, thawing bait, offal & night-setting Spain has 14 marine protected areas to protect breeding colonies of several seabird species || No impact on seabird bycatch Not know although night setting thought to be somewhat effective. Not know although fishermen believe them to be ineffective as seabirds often forage for food far from their breeding colonies Eastern Mediterranean || Pelagic & Demersal Longlines || Malta, Greece || No mandatory fisheries measures but evidence of some limited voluntary use of Mitigation measures e.g. line weighting, night setting, offal discharge management || Not known Not known Gran Sol in North-east Atlantic || Demersal longlines || Spain, France || National legislation introduced in Spain as well as a Code of Conduct adopted for longline vessels || Measures reported to be effective by fishermen but this has not been fully corroborated Eastern Baltic || Static Nets || Latvia, Estonia, Lithuania || Estonia: At least two of Estonia’s national parks (Matsalu and Vilsandi) have fishing regulations in certain areas or times established, at least in part, for protection of bird populations. Some evidence of the use of alternative gears (longlines and pots). Lithuania: a State Reserve was created in 2005 with a purpose to safeguard their wintering and migratory aggregations of several species. In the coastal zone of this area, fishers are prohibited from using gillnets with a mesh size greater than 55 mm from 16 November – 15 April. Some evidence of the sue of alternative gears (longlines and pots) Latvia – no measures reported || Some evidence of measures being effective but no formal assessment carried out No assessment Western Baltic || Static Nets || Sweden, Denmark, Germany || No mandatory fisheries measures in place except for fishing effort restrictions and use of alternative gears (longlines) in Sweden Development underway to develop fisheries management measures in the Pomeranian Bay SPA (EMPAS project) || Unknown Measures not in place yet Eastern North Sea || Static Nets || Netherlands, Germany || Management plan is in place for the SAC Voordelta with measures limiting the use of static nets within the area Development of fisheries management measures in several NATURA 2000 sites in Netherlands, notably the Frisian Front SPA Permit scheme in the Wadden Sea to reduce effort by static net vessels Code of Conduct for net fisheries operating in the IJsselmeer and the Markermeer Lakes || No assessment for seabirds Measures not in place yet Unknown Effective overall reduction in bird bycatch of 87% reported Source: MRAG study & BirdLife International[89] ANNEX VIII -
MAPS SHOWING THE AREAS MANAGED BY RFMOs Source: COM(2011) 424 final ANNEX IX - MITIGATION
MEASURES INTRODUCED BY TUNA RFMOS || CCBST || IATTC || ICCAT || IOTC || WCPFC || Tori line decision (1997) and CCBST Recommendation to Mitigate the Impact on Ecologically Related Species of Fishing for Southern Bluefin Tuna (2008) || Resolution C-05-01 || Recommendation 07/07[90] || Resolution 10/10 || Conservation and Management Measure 2007-04 Key Provisions || || || || || 4.1 Binding || Yes & No || No || Yes || Yes || Yes 4.2 Stated Management objective || Mitigate harm to ecologically related species || No || Seek to achieve reductions in all seabird bycatch || Seek to achieve reductions in all seabird bycatch || No 4.3 Implementation of IPOA || Yes || Yes || No || No || Yes 4.4 Prescribed vessel applicability and area of application || Yes, within IOTC and WCPFC areas || No || Yes, based on distribution of seabirds || Yes, based on distribution of seabirds || Yes, based on distribution of seabirds 4.5 Use of multiple mitigation measures || Yes, IOTC and WCPFC measures when within IOTC and WCPFC waters || No || Required use of one or two measures || Required use of two measures and sinking of hooklines || Required use of two measures 4.6 Standards for mitigation measures || Yes, IOTC and WCPFC measures when within IOTC and WCPFC waters || No || Required use of specifications || Required use of minimum technical standards || Required use of minimum technical standards 4.7 Reporting on implementation and information sharing || Yes, collect and report || Yes, collect and provide || Required to develop mechanisms to record and required to report || Required annually || Required annually on which measures will be required, including technical specifications to be used and any changes in use 4.8 Research and review of mitigation measures || Encouraged || No || Yes || Not explicit || Encouraged for the purposes of developing and refining measures 4.9 Estimate bycatch and/or assess impacts || Yes || Yes, when appropriate and feasible || Yes, required to collect and provide all information || Yes, required for annual analysis || Yes, reporting of all information available to estimate bycatch 4.10 Review for effectiveness and revision || Yes || No || Yes, required with respect to area of application and other provisions in light of future information || Yes, review of impact of measures required by 2011, including based on international research || Yes, annual review of new information, including observer data and revision of measures, including technical specifications 4.11 Safe handling and live release || Yes, IOTC and WCPFC measures when within IOTC and WCPFC waters || No || No || No || Encouraged 4.12 Collection and use of observer data || Not explicit || No || Not explicit || Not explicit || Regional observer program will consider data needs for analyses of impacts and on effectiveness of measures 4.13 Phased-in implementation || No || No || No || No || Yes, for different sized vessels in different areas 4.14 Compliance requirements || Yes, IOTC and WCPFC measures when within IOTC and WCPFC waters || No || No || No || Yes, requirement specific to compliance 4.15 Consultation or cooperation w/other RFMOs and IGOs || Yes, IOTC and WCPFC measures when within IOTC and WCPFC waters || No || No || No || No Source: KOBE II
Bycatch Workshop Background Paper MITIGATION MEASURES INTRODUCED BY OTHER RFMOS || CCAMLR || SEAFO || GFCM || Resolution 22/XXV & Conservation Measures 24-02 (2008), 25-02 (2009) & 25-03 (2009) || Conservation Measure 15/09 || Recommendation GFCM/35/2011/ to adopt ICCAT Recommendation 07/07 Key Provisions || || || 4.1 Binding || Yes || Yes || Yes 4.2 Stated Management objective || Minimisation of the incidental mortality of seabirds || Seek to achieve reductions in all seabird bycatch || Seek to achieve reductions in all seabird bycatch 4.3 Implementation of IPOA || Yes || In the process || No 4.4 Prescribed vessel applicability and area of application || Yes, within Convention Area || Yes, within Convention Area || Yes, based on distribution of seabirds 4.5 Use of multiple mitigation measures || Required use of multiple measures e.g. tori lines, weighted lines, offal discharge (also includes measures for trawl fisheries) || Required use of multiple measures e.g. tori lines, weighted lines, offal discharge (also includes measures for trawl fisheries) || Required use of one or two measures 4.6 Standards for mitigation measures || Required use of specifications || Guidelines for design and deployment of Tori Lines and line weighting || Required use of specifications 4.7 Reporting on implementation and information sharing || Yes, collect and report || Yes, collect and provide || Required to develop mechanisms to record and required to report 4.8 Research and review of mitigation measures || Yes || No || Yes 4.9 Estimate bycatch and/or assess impacts || Yes, required for annual analysis || Yes, when appropriate and feasible || Yes, required to collect and provide all information 4.10 Review for effectiveness and revision || Yes, reviewed annually || No || Yes, required with respect to area of application and other provisions in light of future information 4.11 Safe handling and live release || Yes || Yes || No 4.12 Collection and use of observer data || Yes || Yes || Not explicit 4.13 Phased-in implementation || No || No || No 4.14 Compliance requirements || Yes || No || No 4.15 Consultation or cooperation w/other RFMOs and IGOs || Yes || Yes || No ANNEX X - MAP
OF SPAS ESTABLISHED UNDER THE BIRDS DIRECTIVE
Source:
DG ENV ANNEX XI –
DESCRIPTION OF MITIGATION MEASURES (Taken
from the FAO review by Lokkeborg, 2008[91]) Description of mitigation measures in
longline fisheries This annex gives a description of different
mitigation measures. Only measures that have been developed, tested and proved
to have potential in reducing incidental capture of seabirds are included. Avoid fishing in areas and at times when
seabird interactions are most intense – As seabird
mortality in longline fisheries is related to the feeding activity of the
birds, mortality rates will vary with area and season, and have been shown to
be higher close to breeding colonies[92] and during breeding seasons[93],[94]. Avoiding fishing activities
close to breeding colonies during the breeding season, i.e. area and seasonal
closures, therefore reduces the number of foraging seabirds congregating around
the fishing vessels. Night setting – Most seabirds are visual feeders and forage during daylight hours.
Therefore, setting longlines at night reduces the number of birds attacking
baited hooks. Night setting also reduces the ability of seabirds to see and
seize baits. Streamer line (bird-scaring line, tori
line) – A line attached to a high point at the
stern and towed behind the vessel while longlines are being set. The end of the
line has a towed device (e.g. buoys) to create tension and streamers are
attached to its aerial portion above the sinking longline. The movements of the
streamers deter seabirds from attacking baited hooks. Weighted lines – Longlines with added weights sink faster and thus reduce the time
they remain close to the surface and are available for seabirds to seize baits.
Extra weight can be added to longlines either by attaching (i.e. tying)
external weights to the mainline, or by including strands of lead inside each
of the strands of the mainline (integrated weight line). Underwater setting funnel (chute) – A stern-mounted tube through which the baited hooks are set (Figure
2). This device delivers baited hooks underwater, thereby reducing the time
they remain close to the surface and are visible and within the reach of
seabirds. Both the mainline and the branchline are set through the underwater
setting funnel developed for demersal longlining, whereas in pelagic whereas in
pelagic longlining, only the branchline and the hook are fed through the device
(named the “chute”). The chute designed for pelagic longline vessels deliver
baited hooks deeper (4–5 m) than the funnel used by demersal vessels (1–2 m). A
second emerging method for setting pelagic longlines is the underwater setting
capsule. The baited hook is placed in a capsule that carries it underwater
where it is released. The capsule is then returned on board to be loaded with
the next hook. Line shooter – This device is designed to set longlines without tension. During
traditional setting, lines are set with tension, which is believed to delay
line sinking and keep baits available to birds for longer compared to lines set
with slack. A line shooter consists of opposing rubber and metal sheaves
through which the line is pulled at a constant speed slightly faster than the
vessel speed during line setting. Bait-casting machine (bait thrower) – This device is used only in pelagic longlining to prevent
entangling of the long branchlines with the mainline. Bait-casting machines
throw baited hooks to the side far outside propeller wash and hull turbulence.
Throwing baits into the propeller wash is likely to cause delayed line sinking. Side setting – Side setting, as opposed to traditional stern setting, reduces the
time baited hooks remain within the reach of seabirds due to two factors.
First, side-set longlines are set to the side of the propeller wash thereby
increasing the sink rate. Second, lines set at the side of the vessel enter the
water several meters in front of the stern and thus commence sinking sooner and
are deeper when they emerge clear of the vessel. Strategic offal discharge – Homogenized offal is more easily accessible and thus attractive to
seabirds than baits. Dumping of offal may therefore reduce incidental bird
capture by attracting birds away from the baited longline to the area to the
side of the vessel where the dumping occurs.Blue-dyed bait – Baits dyed
blue are less visible to seabirds with blue ocean as background. These baits
will become invisible to seabirds at shallower depth and therefore sooner than
baits with clearer contrast. Closure of areas and fishing time
limitation – May affect the efficiency of the
fishing operation. Therefore it is recommended that both, management mitigation
measures and technical mitigation measures are introduced in a balanced matter.
This mitigation method is only applicable in fisheries where line setting is
short and allows dumping throughout the setting operation. Description of mitigation measures in
trawl fisheries Studies to determine the effectiveness of
seabird mitigation measures in trawl fisheries are scarce, and accordingly few
mitigation devices have been developed and tested. This review has identified
only three such devices, which all have been described and tested[95]. Streamer line – This mitigation method is similar to the streamer lines used on
longliners. To adapt these for use on trawlers and deter seabirds from
collision with the warp cables, streamer lines are suspended on each side of
the warps. Warp scarer –
This device consists of a series of rings joined by a length of netting forming
a hose around the aerial part of the warp. Streamers hang from each ring to the
sea surface, deterring seabirds from colliding with the warp. Brady baffler – The baffler is design to prevent seabirds scavenging for offal
from congregating at the stern where the warp cables enter the water. It is
attached to each of the two quarters of the stern gantry and consists of two
horizontal steel arms, one aft of the stern and one outboard. Ropes with
plastic cones at the seaward end hang from the arms. Description of mitigation measures in
gillnet fisheries Very few mitigation measures have been
tested in gillnet fisheries. This review identified only two technological
solutions and one case where gear operation was altered in an effort to reduce
seabird bycatch63,[96]. Visual alerts – Traditional gillnets are modified with visual alerts to increase
their visibility, e.g. by dying the nets with an opaque colour. Seabirds should
be able to detect these nets at longer distances and may thus avoid collision
and entanglement however, increased visibility of gillnets may also lead to
reduced catches. Acoustic alerts – Acoustic pingers that emit a sound signal within the hearing
frequency of seabirds are attached to traditional gillnets. The sound signal
serves to scare off seabirds from gillnets. Subsurface setting – Setting gillnets at greater depth could potentially reduce
seabird interactions and bycatch. Table 1 below gives an overview of the
measures available and indicates whether they are currently in commercial usage
or not. Table 1 Mitigation
measures available and their current commercial usage Longlines || Static nets || Both Gear Types Measure || Commercially used || Measure || Commercially used || Measure || Commercially used Increase weight of lines || Yes – used extensively in external waters & in some EU fisheries voluntarily in the Mediterranean || Multifilament coloured twine in top 20 meshes || No evidence of use in any fisheries || Offal discharge || Yes used extensively in both EU and external fisheries. Defined measures in external waters Circle Hooks || Yes - used extensively in external waters but mainly to protect turtles || Buoys with visual bird-scaring deterrents || No evidence of use in any fisheries || Closed areas or seasons || Yes used in some EU fisheries mainly as closed areas or fishing restrictions in SPAs or SACs Make bait sink quicker (thaw bait, puncture swim bladder) || Yes – used in many longline fisheries in external waters and voluntarily in fisheries in the Mediterranean || Red corks spaced throughout netting || No evidence of use in any fisheries || Spatial fishing restrictions (IBA) || Yes but IBAs generally used to define SPAs or SACs Dyed bait || No used only in trials || Acoustic pingers || Yes (but mainly to protect cetaceans in EU fisheries) || || Streamer lines || Yes – used extensively in external waters to agreed specifications & cruder versions used voluntarily in some EU fisheries (Mediterranena and Gran Sol) || Increase setting depth of nets || No evidence of use in any fisheries || || Side-setting || No – not often used in any fishery || Set nets only in waters > 20m || No evidence of use in any fisheries || || Bird scaring curtain (used during hauling) || No – not often used except in CCALMR where specifications are defined || || || || Night-setting with reduced deck lighting || Yes – used extensively in external waters to defined standards & in some EU fisheries voluntarily (Mediterranean and Gran Sol – reduced deck lighting) || || || || Underwater setting devices || Yes in some external fisheries although no requirement in legislation and line weighting preferred as a better and cheaper option || || || || Source: MRAG
Study (The measures are italics are currently included in Regulations. All
other measures are used voluntarily) ANNEX XII - INTERNATIONAL
AGREEMENTS Agreement || Number of longline licences Cape Verde || 48 Cote d'Ivoire || 15 Faroe Islands || 10 Gabon || 16 Greeenland || Not specified Guinea-Bissou || 23 Kiribati || 12 Madagascar || 76 + 5 exploratory licences Mauritania || 22 Morocco (pending agreement) || 61 Mozambique || 45 Norway || Not specified Source: http://ec.europa.eu/fisheries/cfp/international/agreements/index_en.htm ANNEX XIII -
ADMINISTRATIVE AND MANAGEMENT COSTS Administrative costs are those that are
defined as "the costs incurred by enterprises, the voluntary sector,
public authorities and citizens in meeting legal obligations to provide
information on their action or production, either to public authorities or to
private parties" (EC Impact Assessment Guidelines, 2009 update). Management
costs essentially cover the cost of implementation or research. ·
As option 1 relates to the "status
quo", no net change to administrative or management costs are anticipated. ·
For option 2, the "Plan of Action",
there will be some additional administrative costs for reporting and education
and awareness raising and management costs for additional monitoring. ·
For sub-option 3a, "stand-alone regulation",
there will be increased administration costs for reporting and management costs
for monitoring and enforcing the measures. ·
For sub-option 3b, "stand-alone"
regulation", as per option 2, there will be some additional administrative
costs for reporting and education and awareness raising and management costs
for additional monitoring. ·
The management and administrative costs were
estimated using the EU Standard Cost Model for options 2 and sub-option 3a and
3b and the results of the analysis are shown in Tables 1-3. The following data from EUROSTAT[97] was used as the basis for
calculations: Hourly tariff Eurostat data on EU 27 labour costs
(excluding apprentices) per employee per hour were collated using the following
categories to distinguish costs for target groups: Labour costs for the private sector (industry
organisation) were based on category K-N (administrative and support services).
Labour costs for the public sector (member
state fishery departments, RFMO secretariats and RAC secretariats) were based
on category O-J (public administration) Labour costs for DG MARE were based on the
figures included in table tps 00175 (public administration) for Belgium. Labour costs data were from 2008. To bring
these up to date an annual inflation rate of 1.55% was applied based on the
Harmonised Indices of Consumer Prices (HICPs) for EU27. A 25% overhead figure was applied across
all groups to derive the following hourly tariffs: private sector: €32.79/hour;
public sector €27.88/hour; DG MARE €43.35/hour. In assessing the magnitude of observer
costs on EU vessels, for the purpose of this assessment an average of €300/day
is estimated per observer[98].
This includes all overheads such as insurance, training, travel and equipment Time The number of hours spent on a specific
action is estimated based on expert assessment. The most significant time costs
are assumed for observer programmes and for Member State fishery departments
for additional collation and reporting in excess of requirements under the DCF
and Regulation 812/2004. Once-off administration costs are assumed
for RFMO (only option 2), RAC secretariats and industry representatives in
setting up meetings and providing information to fishermen on the new
regulations. Administrative costs for DGMARE for
disseminating information on the new measures, as well as annual costs for
collating and analysing reports received from Member States are assumed. This
is estimated at 30 days per year. Equipment costs No additional equipment costs are expected
as a result of the proposed measures as any new monitoring equipment would be
funded under the EMFF. Frequency of Actions Private sector reporting for the Producer Organisations
was assumed to be a once off cost. This was assumed constant for both options 2
and sub-options 3a and b. For additional administration costs for
Member State fishery departments are associated with costs for dissemination of
information to the fishing industry and collation and reporting of information
for DGMARE. The initial dissemination would be on a once-off basis, while the
reporting would an annual requirement. Costs for inspections were estimated at
10% of the longline and static net fleet being monitored at least once a year
specifically in relation to seabird bycatch. Given inspections would also cover
a range of measures, 25% of these costs have been estimated as being solely in
relation to seabird bycatch. These costs would be the same for options 2 and sub-options
3a and 3b. For option 2 additional observers coverage
over and above that carried out under existing monitoring programmes required
for option 2 and sub-option 3b were estimated at a rate of 100 days per year
covering 50 individual vessels. For sub-option 3a observer costs were based on
1% of the total longline and static net fleets for 30% of their total operating
time, estimated at 220 days/year (i.e. 66 days per vessel per year). Number of entities The number of vessels was derived from data
within the EC Fleet Register (http://ec.europa.eu/fisheries/fleet/index.cfm)
for all gear types. The number of Producer Organisations (214) was
taken from the list of recognised Producers Organisations in the fishery and
aquaculture sector (2008/C 163/05) based on Article 6 of Council Regulation
(EC) 104/2000 (situation on 26 June 2008). The number of RFMO secretariats (13)
relates to the marine RFMOs where EU vessels may operate, namely: APFC, CCAMLR,
CCSBT, CECAF, GFCM, IATTC, ICCAT, NEAFC, NAFO, SEAFO, SWIOFC, WECAFC, and
WCPFC. There are currently seven RACs, each of
relevance to the proposed measures: Baltic, Mediterranean, North Sea, NW
Waters, SW Waters, Pelagic Stocks and Distant Waters Table 1: Administrative and Management Costs
associated with option 2 using the EU Standard Cost Model EU-Plan of Action – Option 2 || Tariff (€ per hour) || TIme (minutes) || Price (per action) || Freq (per year) || Nbr of entities || Total number of actions || Total Administrative Costs || Business As Usual Costs (% of AC) || Total Administrative Burdens (AC - BAU) || Regulatory origin (%) || No. || Description of required action(s) || Target group || || || || || || || || || || Int || EU || Nat || Reg || 1 || Designing information material || DGMARE || 43 || 450,00 || 325 || 1 || 1 || 1 || 325 || 0% || 325 || || 100% || || || 2 || Familiarising with the information obligation || MS Fishery Departments || 28 || 210,00 || 98 || 4 || 27 || 108 || 10.539 || 0% || 10.539 || || 100% || || || 3 || Familiarising with the information obligation || Industry Organisations || 33 || 210,00 || 115 || 4 || 214 || 856 || 98.239 || 0% || 98.239 || || 100% || || || 4 || Familiarising with the information obligation || RAC secretariats || 28 || 210,00 || 98 || 4 || 7 || 28 || 2.732 || 0% || 2.732 || || 100% || || || 5 || Familiarising with the information obligation || RFMO secretariats || 28 || 210,00 || 98 || 4 || 13 || 52 || 5.074 || 0% || 5.074 || || 100% || || || 6 || Inspecting and checking || MS Fishery Department || 40 || 450,00 || 300 || 100 || 50 || 5.000 || 1.500.000 || 0% || 1.500.000 || || 100% || || || 7 || Inspecting and checking || MS Fishery Departments || 28 || 450,00 || 209 || 12 || 5.433 || 65.196 || 13.632.484 || 75% || 3.408.121 || || 100% || || || 8 || Submitting information || MS Fishery Departments || 28 || 450,00 || 209 || 25 || 27 || 675 || 141.143 || 0% || 141.143 || || 100% || || || 9 || Submitting information || RFMO secretariats || 28 || 210,00 || 98 || 4 || 13 || 52 || 5.074 || 0% || 5.074 || || 100% || || || 10 || Filing forms and tables || DGMARE || 43 || 450,00 || 325 || 30 || 1 || 30 || 9.754 || 0% || 9.754 || || 100% || || || Total Administrative Costs €15.456.363 Total Administrative Burden €5.181.661 Table 2: Administrative and Management Costs
associated with sub-option 3a using the EU Standard Cost Model Stand-Alone Regulation – Option 3 || Tariff (€ per hour) || TIme (minutes) || Price (per action) || Freq (per year) || Nbr of entities || Total number of actions || Total Administrative Costs || Business As Usual Costs (% of AC) || Total Administrative Burdens (AC - BAU) || Regulatory origin (%) || No. || Description of required action(s) || Target group || || || || || || || || || || Int || EU || Nat || Reg || 1 || Information material || DGMARE || 43 || 450,00 || 32 || 1 || 1 || 1 || 325 || 0% || 325 || || 100% || || || 2 || Dissemination || MS Fishery Departments || 28 || 210,00 || 98 || 4 || 27 || 108 || 10.539 || 0% || 10.539 || || 100% || || || 3 || Dissemination || Industry Organisations || 33 || 210,00 || 115 || 4 || 214 || 856 || 98.239. || 0% || 98.239 || || 100% || || || 4 || Dissemination || RAC || 28 || 210,00 || 98 || 4 || 7 || 28 || 2.732 || 0% || 2.732 || || 100% || || || 5 || Producing new data || MS Fishery departments || 40 || 450,00 || 300 || 66 || 383 || 25.258 || 7.583.400 || 0% || 7.583.400 || || 100% || || || 6 || Producing new data || MS Fishery departments || 40 || 450,00 || 300 || 66 || 18 || 1.193 || 356.400 || 0% || 356.400 || || 100% || || || 7 || Producing new data || MS Fishery departments || 40 || 450,00 || 300 || 66 || 131 || 8.637 || 2.593.800 || 0% || 2.593.800 || || 100% || || || 8 || Producing new data || MS Fishery departments || 40 || 450,00 || 300 || 66 || 12 || 772 || 237.600 || 0% || 237.600 || || 100% || || || 9 || Inspecting and checking || MS Fishery Departments || 28 || 450,00 || 209 || 12 || 5.433 || 65.196 || 13.632.484 || 75% || 3.408.121 || || 100% || || || 11 || Submitting information || MS Fishery Departments || 28 || 450,00 || 209 || 25 || 27 || 675 || 141.143 || 0% || 141.143 || || 100% || || || 12 || Filing forms and tables || DGMARE || 43 || 450,00 || 325 || 30 || 1 || 30 || 9.754 || 0% || 9.754 || || 100% || || || Total Administrative Costs €24.666.415 Total Administrative Burden €14.442.052 Table 3: Administrative and Management Costs
associated with sub-option 3a using the EU Standard Cost Model Stand-Alone Regulation – Option 3 || Tariff (€ per hour) || TIme (minutes) || Price (per action) || Freq (per year) || Nbr of entities || Total number of actions || Total Administrative Costs || Business As Usual Costs (% of AC) || Total Administrative Burdens (AC - BAU) || Regulatory origin (%) || No. || Description of required action(s) || Target group || || || || || || || || || || Int || EU || Nat || Reg || 1 || Information || DGMARE || 43 || 450,00 || 325 || 1 || 1 || 1 || 325 || 0% || 325 || || 100% || || || 2 || Familiarising with the information obligation || MS Fishery Departments || 28 || 210,00 || 98 || 4 || 27 || 108 || 10.539 || 0% || 10.539 || || 100% || || || 3 || Familiarising with the information obligation || Industry Organisations || 33 || 210,00 || 115 || 4 || 214 || 856 || 98.239 || 0% || 98.239 || || 100% || || || 4 || Familiarising with the information obligation || RAC secretariats || 28 || 210,00 || 98 || 4 || 7 || 28 || 2.732 || 0% || 2.732 || || 100% || || || 5 || Inspecting and checking || MS Fishery Department || 40 || 450,00 || 300 || 100 || 50 || 5.000 || 1.500.000 || 0% || 1.500.000 || || 100% || || || 6 || Inspecting and checking || MS Fishery Departments || 28 || 450,00 || 209 || 12 || 5.433 || 65.196 || 13.632.484 || 75% || 3.408.121 || || 100% || || || 7 || Submitting information || MS Fishery Departments || 28 || 450,00 || 209 || 25 || 27 || 675 || 141.143 || 0% || 141.143 || || 100% || || || 8 || Submitting information || RFMO secretariats || 28 || 210,00 || 98 || 4 || 13 || 52 || 5.074 || 0% || 5.074 || || 100% || || || 9 || Filing forms and tables || DGMARE || 43 || 450,00 || 325 || 30 || 1 || 30 || 9.754 || 0% || 9.754 || || 100% || || || Total Administrative Costs €15.456.363 Total Administrative Burden €5.176.587 [1] FAO. 1999. International Plan of Action for reducing
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