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KAHAWAI REBUTTAL ANNEX FIVE 2004


Annex 5
option4 Rebuttal of Kahawai IPP 2004


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 are concerned about the inconsistency in the Statutory Considerations section of the IPP regarding the availability of kahawai to fishers. Information supplied in the kahawai IPP does not equate to information from the Minister's comments in the kingfish Final Advice Paper (FAP) 2003. The following is an extract from the kingfish FAP Setting the TAC section. Of particular interest is the Minister's comments in paragraph 10.


Kingfish FAP 2003
Paragraphs 3 -10


Setting the TAC

  1. There is limited information on the current status of kingfish stocks and no quantitative assessment to determine whether stocks are above or below the biomass that will support the maximum sustainable yield (BMSY). Given the limited information available I have decided that it is not necessary to set a target level (such as above BMSY) for kingfish stocks at this time.
  2. Uncertainty in the status of current biomass is a factor that I have taken into account in my consideration of TAC options identified in MFish advice and in stakeholder submissions. I am required to make a decision on TACs and allowances despite the uncertainty in current stock status. Having regard to the importance of the stock to all sectors, and therefore the socio-economic benefits associated with harvesting, I wish to take management steps that will at least maintain, if not improve, current biomass.
  3. I have noted that the Report from the Fishery Assessment Plenary concludes that it is not known whether the current combined commercial and recreational catch is sustainable for any kingfish stock. Anecdotal information from recreational fishers suggests that there has been a decline in abundance. Commercial landings have declined in KIN 1 and KIN 2 but the reason for this decline is not clear. While accepting that the information on landings is uncertain, I consider that the available data suggests that there is a risk attached to current levels of catch for some kingfish stocks, in particular KIN 1, KIN 2 and KIN 8.
  4. In the absence of reliable yield information, the starting point for calculating the TAC for each stock is the best estimate of average landings for each sector group. I have noted that a number of submissions disputed the estimates of average landings provided in the MFish Initial Position Paper (IPP) and suggested alternative data and/or time periods of data that should be used to calculate the TAC options.
  5. In final advice to me, MFish has confirmed its view that the average of the two most recent harvest estimates, while uncertain, is the best available information on recreational kingfish landings at this time. MFish did not accept the industry proposition to extend the period used to derive commercial average landings on sustainability grounds. After consideration of submissions, MFish also proposed adjustments to the estimates of commercial average landings provided in its initial proposals to take into account:
  • the fact that the Minimum Legal Size, did not apply to all commercial fishing methods until December 2000; and
  • the declining trend in commercial landings in KIN 1 since 1993 by reducing the period of time used to derive an average of these landings.
  1. I have considered the MFish advice and the submissions related to this issue. I am not so concerned about the basis for the TAC calculation, which I recognise in the absence of yield information is to a degree subjective, but rather whether the overall TAC for each stock is sustainable. After analysis of submissions and consideration of available information MFish have assessed that the TACs outlined in the IPP may be unsustainable given uncertainty over current stock status. Accordingly I have determined that the TAC options presented in the MFish final advice present less risk to the stock than those outlined in the IPP.
  2. The MFish Final Advice Paper (FAP) outlined two TAC options for KIN 1, KIN 2, and KIN 8, one based on average landings, the other based on a 20% reduction to average landings. In reaching a decision on which TAC option should apply in each kingfish stock I have carefully considered the socio-economic impacts and advice outlined in the MFish FAP and the issues raised in submissions including:
  1. the uncertainty in information on the status of kingfish stocks;
  2. information that may indicate a decline in biomass over time;
  3. my desire to at least maintain and hopefully improve current biomass; and
  4. socio-economic information including the potential impacts and benefits to all sectors.

  1. I am not satisfied that a TAC based on average landings in KIN 1, KIN 2 and KIN 8 appropriately mitigates the risk that abundance may have declined over time and further decline is possible at levels based on average landings. Given uncertainty in information on stock status, I am obliged to implement measures that will prevent the biomass declining. However, my preference is to set a TAC that provides a reasonable opportunity for the biomass to increase. I have therefore decided to set a TAC for kingfish in KIN 1, KIN 2 and KIN 8 that is 20% below revised estimates of average landings. TACs in other areas are to be based on the best estimate of average landings. TACs for all stocks are outlined in Table 1.

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