Home - kahawai.co.nz Kahawai
Home
Information
News
Media
Register Your Support
Please Help
Contact Us
option4 website
 STAY INFORMED
YES I want to be
kept informed
Change existing options


Promote kahawai.co.nz

 

KAHAWAI REBUTTAL PART FOUR 2004

Print this page

option4 Rebuttal of Kahawai Initial

Position Paper 2004

Part Four

 

When a species is introduced into the Quota Management System (QMS) the Ministry of Fisheries issues its suggested management proposals to the Minister in an Initial Position Paper (IPP). The Minister uses this information to base his final decision on when setting the TACC and allowing for the public and customary Maori fishers.

option4 have major concerns with much of the information provided in the kahawai IPP. Also of concern is the Ministry's position in having presented the Minister with only one option for the future management of this most important species. We have spent time going through the document section by section so you can understand our concerns.

The document has been divided into manageable sections so you can quickly come to grips with the issues option4 has identified as being of note.

KEY: Black text is IPP

        Blue text is option4 commentmment.

KAHAWAI (KAH)

Part Four

TACC's

Quota management areas

Other management methods

  • Localised depletion on a massive scale. More »
  • Our second principle of excluding bulk commercial fishing methods should be applied to the kahawai fishery now. More »
  • This is about marginal purse seining interests versus 1 Million New Zealanders. More »
  • Serial depletion. More »
  • Your catch rates have declined as the kahawai have been stolen from you. More »
  • Why special management is required. More »

TACCs

  1. Proposed TACCs in tonnes for each QMA are set out in Table 1.
  2. The proposed TACC has been calculated using average commercial landings for the period between 1997 and 2002. This may understate or overstate current commercial utilisation in terms of the period chosen for some management areas. MFish notes that commercial landings of KAH 1, KAH 2 and KAH 3 were greater between 1988 and 1997 and accordingly extending the years used to calculate average commercial landings could potentially increase estimates of current commercial utilisation.  
      
    So what! This is totally irrelevant. The TACC is the remainder of the TAC after the Minister has allowed for non commercial and other mortality associated with fishing.

    Any potential impact from adopting different estimates of current utilisation can be measured as direct opportunity costs. A tonne of kahawai has a value and any reduction in tonnage for the commercial sector as a result of a lower TACC can be measured in terms of a forgone value. MFish considers that any such impacts can best be measured by forgone annual earnings as provided by the port price of kahawai ($430 / tonne) .
  3. The commercial kahawai fishery is seasonal primarily because it is the off-season target of other species and subject to voluntary seasonal fishing arrangements. It is likely that within a QMS management regime this pattern of the fishery will not change. However, quota for kahawai will need to be retained to cover the bycatch of fishing for other species.

    Voluntary agreements tend to be ignored when there is money to be made. Voluntary agreements in place now only apply to purse seining in certain areas and the BOP from 1 Dec to after Easter. Reports of fishing activity so close to shore that conversations on fishing boats can be overheard from shore are not uncommon. They tried telling that to the SNA 2 quota owners and fishers. Totally ignored then and now – what makes us want to believe that industry will behave any differently with kahawai?

TOP

KAH 1

  1. There is one TACC option proposed for KAH 1. Based on the average of the last five years commercial landings from this management area it is proposed that the TACC be set at 1 480 tonnes. This proposed TACC exceeds the current purse seine limit of 1 200 tonnes and provides for anticipated bycatch levels. MFish assesses there will be little if any socio-economic impact associated with adoption of this option because it is based on current levels of commercial utilisation.  

    If MFish can anticipate bycatch levels then why can’t they anticipate catch levels for recreational and customary harvest? Taking into consideration our reduced current catch levels due to over exploitation of the kahawai fishery by purse seiners and our inability to provide for our needs. Also the Feldman report indicates this “utilisation” has almost destroyed the kahawai fishery in the BOP, see reduction in CPUE from 2.55 kahawai per hour for visitors and 4.17 (locals of Motu River mouth) in 1982 to the results of the survey in 1991 showing CPUE was 0.1 kahawai per hour.

KAH 2

  1. There is one TACC option proposed for KAH 2. Based on the average of the last five years commercial landings from this management area it is proposed that the TACC be set at 710 tonnes. Although based on average landings, the proposed TACC is less than the current purse seine limit of 851 tonnes and the most recent years catch of 832 tonnes. MFish assesses there is likely to be little ($52 030 forgone earnings on the 2001-02 catch) socio-economic impact associated with adoption of this option because it is based on current levels of commercial utilisation.

KAH 3

  1. There is one TACC option proposed for KAH 3. Based on the average of the five years commercial landings from this management area it is proposed that the TACC be set at 490 tonnes. This proposed TACC is less than the current purse seine limit of 1 500 tonnes. MFish notes that declining catches in QMA 3 is associated with reduced purse seining in this area.   MFish assesses there is likely to be little if any socio -economic impact associated with adoption of this option based on current levels of commercial utilisation.  

KAH 4

  1. There is one TACC option proposed for KAH 4. Based on a nominal value it is proposed that the TACC for this management area be set at 10 tonnes. MFish considers this TACC appropriately reflects the current level of use in this fishery.

KAH 8

  1. There is one TACC option proposed for KIN 8 KAH8?. Based on the average of the five years commercial landings from this management area it is proposed that the TACC be set at 635 tonnes. This proposed TACC provides for current levels of bycatch. MFish assesses there will be little if any socio-economic impact associated with adoption of this option because it is based on current levels of commercial utilisation.  

    The 635 tonnes is based on the average of the 5 years catch. The average of the last 9 years catch is 560 tonnes. When did MFish indicate kahawai would be entering the QMS? Is there a case to say the commercail fleet were establishing a catch history in anticipation of the alloaction of quota?

KIN 10

  1. There is one TACC option proposed for KAH 10. Based on a nominal value it is proposed that the TACC for this management area be set at 10 tonnes. MFish considers this TACC appropriately reflects the current level of use in this fishery.

Allowance for other sources of mortality

  1. There is no information on the current level of illegal catch. Accordingly, it is suggested that no allowance is made to cover illegal catch at this time.
  2. The Report from the Fishery Assessment Plenary states that there is no information on other sources of mortality apart from juvenile kahawai, which may suffer from habitat degradation in estuarine areas. Nevertheless, MFish notes that the majority of kahawai is taken by purse seine (a bulk fishing method). There are a number of sets where the purse is set but no catches are recorded, possibly because of gear failure or other related factors. Some incidental fishing related mortality is likely especially in instances of gear failure. MFish proposes that a nominal allowance of 5% of the average purse seine reported landings for the last five years be set in accordance with the legislative requirement to provide for an allowance of other sources of fishing relating mortality.  

TOP

Other Management Measures

Method Restriction

  1. The recreational sector believes that there is conflict with commercial fishing for kahawai, particularly with purse seiners and set netters. These concerns are currently mitigated by voluntary agreements [2] and by an outcome of the set net review [3].  

    Low current kahawai catch levels by non commercial fishers and the inability of the purse seine fleet to catch their allowable tonnage would suggest the current closures are far too small to have a significant impact on improving the ability of non commercial fishers to catch the kahawai they are targeting.

    [2] There are voluntary purse seine closures in place in Parengarenga Harbour, Rangaunu Bay, Doubtless Bay, Cavalli Island, The Bay of Islands, Rimariki Island to Bream Head, the Hauraki Gulf, the Bay of Plenty, Cape Runaway to East Cape, Waikahawai Point to Poverty Bay and Hawke Bay to spatially separate non-commercial and commercial sectors.   In addition a voluntary moratorium was placed on targeting kahawai by purse seine in the Bay of Plenty between 1 December and the Tuesday after Easter.

    [3] An outcome of the set net review was that commercial set netting was prohibited by regulation from 26 locations.

  2. There is currently no provision for considering spatial allocation within the process of setting sustainability measures and therefore continued voluntary arrangement between sectors to retain these measures for kahawai might be necessary with kahawai in the QMS.

    The purse seine fishery is focused on a few large areas of prime kahawai habitat that are intensivly fished. This results in localised depletion on a massive scale. The worst affected areas are within the range where it is economically viable to operate an economically marginal fleet of purse seiners from the port they are domiciled in. Any school of kahawai that strays into one of these areas has the potential to be instantly annihilated – the complete, entire school is destroyed. Fishing continues in the area until most or all of the schools of kahawai are caught. The area becomes entirely depleted and has an adverse affect on non commercial fishers catch rates. Most of the areas fished by the purse seine fleet are close to areas of high population. Over the next 7 or 8 months kahawai from outside the area migrate into the depleted prime kahawai habitat just in time for the purse seine fleet to return and take them all away again. These areas act as a sink hole soaking up the kahawai biomass from the wider fishery management area and causing depletion over a much wider area than the area the purse seine fleet operates in.

    We are appalled that the Ministry has elected to not include the kahawai purse seine catch by stat area or over a sufficiently long time frame. Stat areas are a much smaller scale than entire quota management areas. Had the Ministry elected to declare and use this information, which they possess, it would be obvious why the non commercial sectors are suffering massive reductions in their catch – contentions that are clearly and demonstrably supported by Ministry diary and ramp surveys.
     

    STOP – THINK – SIMPLE LOGIC STUFF – If it is in range of the marginally economic industrial spotter plane/purse seine fishers, by definition it is in range of us, the non commercial fishers. What is the good of abundance off the West Coast of the South Island to a non commercial fisher north of East Cape. Where, coincidentally, 75% of us happen to live. Add to this the “Radius of doom” centered on Nelson and we are looking at almost all of us being directly disenfranchised from the kahawai fishery by bulk industrial commercial methods.

    Remember the second principle that has been endorsed not only by an overwhelming majority of people and organisations that submitted to Soundings but also the consensus and signed policy of NZRFC, NZBGFC, NZACA and option4 “The ability to exclude commercial bulk fishing methods that deplete important non commercial areas.” If there is any fishery that demands this principle be implemented, it is the kahawai fishery and the time is now!

    The public and their representative organisations are unanimous on this principle. We question how the Minister can allow for non commercial fishers when the advice he is getting fronm his Ministry (in this IPP) fails to acknowledge the conflict, suppresses the readily available and vital information that proves beyond any doubt that the non commercial sectors have been disenfranchised by the purse seine fleet close to the significant main population areas and then has the audacity to claim there is no scarcity of kahawai.

    This is the fishery of PRIMARY importance to ALL non commercial fishers in New Zealand. It is truly a national fishery. This decision will effect each and every one of us. 

    Summary - This decision is about a couple of corporates and a handful of marginal purse seiners fishing a down time versus 1,000,000 New Zealanders who value kahawai as toanga, great eating, more often than not their childrens first moment of sheer delight and triumph.
     

    We used to be able to catch reasonable sized fish. Lew Ritchie, an ex MFish scientist saw the decline as far back as 1987. Read Kahawai in Trouble

    This advice paper proves yet again that the Ministry’s sole agenda is to develop commercial fisheries regardless of the consequences to you, the non commercial fisher.

    This covers localised depletion – now lets discuss serial depletion. The Ministry’s management strategy where we set a target stock size (say 20% of virgin biomass) As we take half the fish out of the water it becomes twice as hard to catch a reasonable sized fish. When we look at non commercial CPUE and see that it has declined 90% we then realise the interrelationship between the size of the biomass and the availability of those fish to the non commercial sectors.    

    Historically in New Zealand the Ministry has a target biomass somewhere between 20 and 25% of the virgin biomass and in seeking to achieve this target poor information, reporting/assessment delays, inadequate research prioritorising often leads to fish stocks declining well below 20% before meaningful management is applied. Kahawai is a classic case of this syndrome. It is unarguable that the non commercial fishers have been disenfranchised as the additional commercial fishing effort applied through the development of the purse seine fishery annihilated the standing biomass.

    Mark Feldman coined the term “theft” in a recent article – we concur. The kahawai fishery was stable, bycatch levels were stable, the local market was well supplied, we enjoyed good catch rates. We considered that in the 1970’s the kahawai fishery was well balanced and developed – it was in harmony. In that harmonius fishery the Ministry allowed this sick experiment to see what happens if you take everyones fish away from them and give it all to a marginal purse seine fleet. Well you know what happened, your catch rates declined as the fish were stolen from under your noses. Most of us objected and until now have been totally ignored. And now the Ministry is recommending legitimising the blunder and giving our kahawai to the purse seine fleet in perpetuity as a reward for the grief and havoc they have wreaked on the kahawai fishery.

    To base a recommendation on current utilisation is absurd, unjust and unfair. It is a callous, shallow attempt to legitimise not only the theft of your fish but also their failed management of your fishery. The thieves get their catch history based on current utlisation granted to them as a property right in perpetuity and get to repeat the crime annually.

    The evidence of stock overfishing can be seen from the catch returns. Particularly obvious in areas hardest hit by the purse seiners.. As one would expect, industry are contending that their declining catch is driven by market forces. We contest this. We contend that it is clear evidence of overfishing. The time series is now sufficiently long to overrule these claims of market forces being the cause of the decline in catches. We suggest it points directly to massive overfishing of the stock.

    Had this level of reallocation been permited in the other direction, the fishing industry would have been seeking compensation from the Crown.

    The Ministry of Fisheries has a target of 20-25% of the virgin biomass. In seeking to achieve this target, reporting and assessment delays and poor research funding on this commercially low value species will undoubtedly lead to the fish stocks falling well below this mark before meaningful management is applied.


    This is a fishery that requires special management.
    Why? Kahawai are:
    1. Available from the shore
    2. The peoples fish
    3. Low value export
    4. High value non commercial
    5. Vital food source
    6. Unparalled sport opportunity
    7. Available year round in harbours and estuaries.

TOP

Consequential amendment to regulation

  1. As a consequence of the introduction of kahawai into the QMS, MFish proposes to revoke certain fishing permit conditions. These conditions relate to the closing of the purse seine fishery once purse seine limits for kahawai have been reached. In addition, MFish proposes to introduce a number of amendments to the reporting regulations to ensure the effective and efficient operation of the QMS. Details of the proposed amendments are set out in a generic section of this paper.

Schedule 5A

  1. MFish does not propose to list any kahawai stock on Schedule 5A of the Act and proposes to allow under-fishing rights to be carried forward.  

Deemed values and Over-fishing threshold

  1. A separate section of this document sets out generic information on the setting of interim and annual deemed values.
  2. Application of the policy framework for deemed values would mean kahawai falls within the "all others" fishstock category. The port price for kahawai is $0.43 (early 2003 MFish port price survey). The standard factor of the port price for species in this category is 75%. The proposed annual deemed value would therefore be $0.32, while the interim deemed value would be set at $0.16.
  3. MFish acknowledges, however, that overcatch of the kahawai TACCs will affect the interests of the non-commercial fishers in a fishery they highly value. MFish also notes the following influences upon the kahawai port price:
  • Lower port prices reported by vertically integrated companies (those that catch, process and market).
  • There are niche markets such as those for smoked kahawai that attract substantially more than average prices.
 
  1. Accordingly, MFish recommends an additional option of applying a factor of 200% to the port price, which would derive an annual deemed value of $0.86. Although a departure from the deemed values policy framework, this option would reinforce the importance of ensuring that catch of kahawai is not landed in excess of ACE (a statutory consideration) in light of the importance of kahawai to the non-commercial sector.
  2. A provisional figure from the November/December 2003 MFish port price survey indicates that the port price for kahawai in areas 1, 2 and 3 could be as high as $3.50. MFish will review the proposed port price in light of submissions on the IPP and any further port price information that becomes available.
  3. MFish proposes to set differential deemed values for kahawai stocks. MFish does not propose to set an overfishing threshold for kahawai.   MFish considers that the combination of the deemed values proposed and the proportionally increasing deemed values for fishers who exceed their ACE should be an effective set of balancing provisions.  

Return to the option4 kahawai IPP rebuttal index page for more info »

Latest news and background information on kahawai available here »

TOP

site designed by Axys   All rights reserved.